This transfer application under Section 24 of the Code of Civil Procedure, 1908, was filed by the applicants seeking the transfer of Regular Suit No. 170 of 2023 from the Court of Civil Judge (Junior Division), Kannauj, to the competent Court at Kanpur Nagar. The underlying dispute pertains to a registered adoption deed dated June 30, 2022, concerning a minor child given in adoption to the applicants. While the applicants instituted an earlier suit at Kanpur Nagar seeking a declaration that the adoption deed is valid and binding, the opposite parties subsequently filed a suit at Kannauj seeking the cancellation of the very same adoption deed. With the consent of the opposite parties, the Allahabad High Court allowed the application, holding that where two cross-suits involving identical parties and foundational issues arise from the same document, transferring the subsequent suit to the forum of the earlier institution promotes judicial consistency, prevents conflicting decrees, and ensures procedural economy.
1. Core Issues Addressed
- Scope of Section 24 CPC: The principles governing the discretionary and equitable power of the High Court to transfer civil suits to secure the ends of justice and regulate judicial proceedings.
- Avoidance of Conflicting Decrees: The necessity of consolidating or trying related cross-suits concerning the same foundational document (an adoption deed) before a single forum to eliminate contradictory judicial outcomes.
- Forum of Prior Institution: The principle that, absent compelling reasons, a subsequently instituted suit should generally be transferred to the court where the earlier proceeding is pending.
2. Key Findings & Legal Reasoning
- Identity of Controversy: Both suits involve the same parties and revolve around the identical foundational issue—the legality and binding nature of the registered adoption deed dated June 30, 2022.
- Risk of Multiplicity and Conflict: Permitting independent trials in different courts would result in duplicate evidence, wasted judicial effort, and a high risk of inconsistent or conflicting decrees regarding the same document.
- Primacy of the Earlier Forum: The suit seeking a declaration of the adoption’s validity was instituted earlier at Kanpur Nagar (O.S. No. 2465 of 2022) compared to the subsequent cancellation suit at Kannauj (O.S. No. 170 of 2023), making Kanpur Nagar the appropriate joint forum.
- Consent and Independent Satisfaction: While the opposite parties’ explicit “no objection” supported the transfer, the Court independently evaluated the facts to ensure the transfer served the orderly administration of justice rather than relying solely on consent.
3. Final Conclusion
- The transfer application was allowed.
- Regular Suit No. 170 of 2023 pending before the Civil Judge (Junior Division), Kannauj, was withdrawn and transferred to the Civil Judge (Junior Division), Kanpur Nagar.
- The Kannauj court was directed to transmit the original records within fifteen days, and the transferee court was instructed to consider hearing both related suits together to ensure effective adjudication.
J.O. (Web) 2026 ALL 144
Preeti Mishra and another v. Vishnu Kant Tripathi and another (D.O.J.
J.O. (Web) 2026 ALL 144 click here to view full text of judgment




