In the case of Kumud Lall v. Suresh Chandra Roy (2026), the Supreme Court of India addressed a critical question regarding whether legal heirs can be impleaded and held liable for the medical negligence of a deceased doctor during appellate or revisional proceedings.
Case Background and Facts
The dispute began in 1997 when a consumer complaint was filed against Dr. P.B. Lall for alleged medical negligence following an unsuccessful eye operation in 1990 that resulted in the patient losing vision. The District Forum found the doctor negligent and awarded compensation of ₹2,60,000. While the matter was pending in revision before the National Consumer Disputes Redressal Commission (NCDRC), Dr. Lall passed away.
The Legal Dispute
The doctor’s legal heirs (the appellants) argued that the proceedings should have abated upon his death based on the common law maxim actio personalis moritur cum persona (a personal action dies with the person). They contended that since the allegations were for “personal injury” due to negligence, the right to sue did not survive against them.
Conversely, the respondents argued that the Consumer Protection Act specifically provides for the application of Order XXII of the CPC, allowing for the substitution of legal heirs when a party dies. They asserted that any liability fixed upon the deceased doctor could be recovered from his estate.
Key Findings of the Court
The Supreme Court allowed the impleadment of the legal heirs and clarified the following legal principles:
- Statutory Modification of the Maxim: The Court observed that the maxim actio personalis moritur cum persona has been significantly modified in India by various statutes, including the Legal Representatives’ Suits Act, 1855, and the Indian Succession Act, 1925.
- Proprietary vs. Personal Rights: The Court distinguished between personal rights (which pertain to a person’s status and well-being and die with them) and proprietary rights (which relate to a person’s property and estate and survive their death).
- Liability of the Estate: The Court ruled that while personal liability for a tort ends with death, any claim that has the potential to result in a pecuniary loss to the estate survives.
- Survival of the Right to Sue: If a decree already exists in favor of a plaintiff when a defendant dies during the appeal process, the entire claim remains maintainable because the decretal amount must be satisfied from the deceased’s estate.
- Correction of Precedent: The Court found that the NCDRC had previously erred in the Balbir Singh Makol case by failing to recognize the statutory modifications to common law maxims in India.
Conclusion
The Supreme Court concluded that the legal heirs of a medically negligent doctor can be impleaded to continue the proceedings. It set aside the previous orders and restored the revision petition to its original number to be decided on its merits. The Court emphasized that the law must not allow a principal wrong to be rendered “illegally irrelevant” simply because the wrongdoer has died.
2026 INSC 443
Kumud Lall V. Suresh Chandra Roy (Dead) Through Lrs And Others (D.O.J. 04.05.2026)



