The case of Maurice W. Innis v. Lily Kazrooni @ Lily Arif Shaikh (2026 INSC 340) clarifies the limited jurisdiction of an Executing Court, specifically emphasizing that it cannot go beyond the terms of a decree or modify it.
Factual Background and the Compromise Decree
- The Property: The dispute concerned a 51R (approximately 54,895 sq. feet) plot of non-agricultural land in village Panchgani, Maharashtra.
- The Agreement: The appellant (Maurice) filed a suit for specific performance against the respondent (Lily) based on an agreement to sell from 2009.
- The Compromise: In July 2017, the parties settled the dispute through a compromise. Under this settlement, 10R was designated as common land for access, and the remaining 41R was to be divided equally (20.5R each) between the parties.
- Clear Descriptions: The compromise decree explicitly described the specific portions of the land and structures (bungalows and plinths) that would go to each party based on a sanctioned map.
The Executing Court’s Interference
Both parties filed separate execution petitions to implement the decree. However, the Executing Court passed orders in July and August 2021 that modified the areas allotted in the original compromise decree.
- Reasons for Modification: The Executing Court argued that the original allotment was not “practicable” because some constructions were not in accordance with sanctioned plans and a portion of the land had allegedly been sold to a third party.
- High Court Ruling: The High Court of Bombay dismissed Maurice’s challenge, effectively upholding the Executing Court’s power to vary the decree based on these practical difficulties.
Supreme Court’s Legal Analysis
The Supreme Court set aside the lower courts’ orders, reiterating fundamental principles of civil procedure:
- Bound by the Tenor of the Decree: Under Section 47 of the CPC, an Executing Court is empowered to decide questions regarding the execution, discharge, or satisfaction of a decree, but it has no jurisdiction to go behind or beyond it. It must execute the decree exactly as it stands.
- Exception for Nullity: The only exception to this rule is if the decree is a nullity (void) due to a lack of inherent jurisdiction in the court that passed it. This was not the case here, as the decree was based on a mutual compromise.
- Impracticability is Immaterial: The Court ruled that factors such as unauthorized construction or sales to third parties are “immaterial”. The Executing Court cannot assume the role of a trial court to substitute its own view for the terms expressed in the decree.
- Duty of the Court: If there is a dispute regarding the identity of the land, the court may decide it, but it cannot vary the clear terms of an allotment just because the exchange might be difficult to implement.
Conclusion
The Supreme Court allowed the appeal, ruling that the Executing Court had exceeded its jurisdiction by altering the compromise decree. The orders of the Executing Court and the High Court were set aside, and the Executing Court was directed to execute the decree strictly in its original “terms and tenor”.
2026 INSC 340
Maurice W. Innis V. Lily Kazrooni @ Lily Arif Shaikh (D.O.J. 09.04.2026)




