In the case of Pramod Shroff v. Mohan Singh Chopra (2026), the Supreme Court of India addressed a critical procedural question regarding the obligations of a civil court when adjudicating a suit ex parte. Specifically, the Court examined whether the failure to formally frame issues or “points for determination” vitiates such proceedings.
The following is a summary of the judgment:
Case Background
The dispute involved a suit for specific performance regarding an agreement to sell executed on January 27, 1977, for a property in Kolkata. The Appellant (the buyer) had paid ₹90,000 out of the ₹95,000 consideration and had been put in possession of the property. Despite repeated requests, the Respondent (the seller) failed to execute the final conveyance deed.
The suit was heard ex parte as the Respondent failed to appear. Both the trial court and the High Court of Calcutta dismissed the suit on the grounds that the Appellant had failed to prove the Respondent’s title to the property.
Key Legal Findings
The Supreme Court set aside the lower courts’ decisions based on several procedural principles:
- Necessity of “Points for Determination”: While Order XIV Rule 1(6) of the CPC states that framing issues is not mandatory when a defendant offers no defense, the Court clarified that a judgment must still conform to Order XX Rule 4(2). This requires the court to state the “points for determination” and give a reasoned decision on each.
- The Burden of Proof in Ex Parte Suits: The Court noted that even in ex parte cases, a plaintiff must provide prima facie proof of their claim. However, the court must also scrutinize the pleadings and documents to identify the specific facts that need to be proved.
- Prejudice Caused by Omission of Issues: The Court found that because no issues or “points for determination” were framed regarding the Respondent’s title, the Appellant was never put on notice that this was a fact they needed to prove. In the absence of a defense contesting the title, the Appellant could not have been expected to lead evidence on that point. This omission caused material prejudice to the Appellant’s case.
- Defective Judgment: A judgment that fails to discuss the issues in dispute or provide findings on points for determination is considered defective and not in accordance with the law. Simply granting or denying a decree on default without a reasoned answer is a “material irregularity”.
Conclusion and Relief
The Supreme Court concluded that the judgments of the lower courts did not fulfill the requirements of the Code of Civil Procedure. Consequently, the Court:
- Set aside the judgments of the trial court and the High Court.
- Remanded the matter to the trial court for fresh consideration and decision.
- Directed the trial court to frame formal issues, grant time for the completion of pleadings, and allow both parties an opportunity to lead evidence.
- Ordered an expedited trial, noting that the original suit was filed in 2007.
2026 INSC 378
Pramod ShroffV. Mohan Singh Chopra (D.O.J. 16.04.2026)




