The appellant, Rajul Manoj Shah, initiated a suit in 2012 regarding a bungalow in Ahmedabad. She claimed the property was jointly owned by her and her deceased brother, and subsequently by her and her sister-in-law (original defendant no. 1). The appellant discovered in 2012 that her sister-in-law had agreed to sell a portion of the undivided share to respondent no. 1/defendant no. 2 via an agreement dated 21.10.2011. The appellant filed a suit seeking a declaration that defendant no. 1 had no right to transfer the property without her consent and to declare the sale agreement null and void.
Following the death of defendant no. 1, a court official (Nazir) was appointed to represent her. In 2021, defendant no. 2 sought to amend their written statement to file a counter-claim, requesting a directive for the Nazir/respondent no. 2 to execute a sale deed based on the 2011 agreement and to partition the suit property. The Trial Court dismissed this counter-claim application, citing abuse of process, untimely filing after issues were framed, and the non-maintainability of specific performance against a deceased defendant represented by a court officer or against a co-defendant. However, the High Court subsequently allowed defendant no. 2’s application to file the counter-claim, which led to the present appeal.
Law Involved The primary legal provisions in question were Order VIII Rule 6A of the Code of Civil Procedure, 1908 (CPC), which governs counter-claims by a defendant, and Article 54 of the Limitation Act, 1963, which sets a three-year limitation period for suits seeking specific performance of a contract. The Supreme Court also referenced Order XXII Rule 4A CPC for the substitution of a court-appointed officer.
The judgment relied on precedents, including:
Ashok Kumar Kalra v. Wing CDR Surendra Agnihotri, which discusses the discretion and time limits for allowing counter-claims.
Rohit Singh & Ors. v. State of Bihar, which clarifies that a counter-claim must generally be directed against the plaintiff and not solely against a co-defendant.
Reasoning
The Supreme Court identified two crucial errors in the High Court’s decision to allow the counter-claim:
- Delay and Limitation: The counter-claim for specific performance, filed in 2021, was brought nine years after the original suit was instituted and three years after issues were framed. The agreement it sought to enforce dated back to 2011. The Court noted that the limitation period for specific performance under Article 54 of the Limitation Act is three years. Defendant no. 2 was aware of the agreement and the dispute since 2012 but failed to take timely action. Allowing such a significantly delayed counter-claim, which appeared prima facie time-barred, would defeat the legislative intent of Order VIII Rule 6A CPC to avoid multiplicity of proceedings and ensure speedy justice.
- Maintainability Against a Co-Defendant: The counter-claim for specific performance and partition was primarily directed against the deceased defendant no. 1 (represented by the Nazir) and sought to enforce the agreement against the appellant, who was a co-defendant. Citing Rohit Singh v. State of Bihar, the Court reiterated that a counter-claim under Order VIII Rule 6A CPC is primarily meant to be against the plaintiff, or at least tied to the plaintiff’s cause of action. The relief of specific performance sought against the appellant (co-defendant) was qualitatively different from the appellant’s original claim and was not directed against the appellant as a plaintiff. Therefore, a counter-claim for specific performance against a co-defendant in these circumstances was deemed not maintainable.
Holding The Supreme Court allowed the appeal, thereby setting aside the judgment and order of the High Court of Gujarat. The Court held that the High Court had committed an error in permitting defendant no. 2 to file a counter-claim largely against defendant no. 1 (Nazir) and the co-defendant (appellant), particularly given the substantial delay and the nature of the claim. This effectively upheld the Trial Court’s decision to dismiss the counter-claim application.
Rajul Manoj Shas Alias Rajeswari Rasiklal Sheth Vs Kiranbhai Shakrabhai Patel & Anr.
Supreme Court: 2025 INSC 1109: (DoJ 12-09-2025)




