The Supreme Court of India set aside a High Court Single Judge’s common order that allowed review petitions by re-hearing the merits of dismissed appeals, as well as the consequential judgment that instantly allowed those appeals without separate proceedings. The Apex Court held that review jurisdiction cannot be exercised as an appeal in disguise. Restoring the original dismissal orders, the Court granted liberty to the aggrieved respondents to challenge the original appeal dismissal orders before the appropriate forum within 60 days.
- Factual Background
- Prior Proceedings: The appeals filed by the respondents had initially been dismissed by a learned Single Judge of the High Court.
- Review & Re-hearing: The respondents filed a batch of review petitions, which were listed before a different Single Judge. The Single Judge allowed the review petitions on the premise that the original judgment had failed to consider contentions having a substantial bearing on the case.
- Simultaneous Disposal: On the exact same day the review petitions were allowed, the Single Judge also passed a fresh common judgment allowing the main appeals themselves, dispensing with further hearing on the ground that merits had already been argued during the review proceedings.
- Appeal to Supreme Court: The appellant challenged both the order allowing the review petitions and the consequential judgment allowing the appeals.
- Legal Analysis & Supreme Court Findings
- Exceeding Review Scope: The Supreme Court observed that the learned Single Judge re-heard the entire matter on merits, treating the review petition effectively as an appeal. The Court ruled that such a re-appreciation of arguments falls clearly beyond the well-established parameters and contours of review jurisdiction.
- Invalidity of Dependent Orders: Since the order allowing the review petitions was unsustainable, the consequential/dependent common judgment allowing the main appeals on the same day was also liable to be set aside.
- Directions Issued
- Orders Quashed: Both the common order allowing the review petitions and the consequential judgment allowing the main appeals were set aside.
- Liberty to Appeal: The Court granted liberty to the respondents to challenge the original dismissal order of the appeals within a period of 60 days from the date of the judgment, if they so desire.
- No Opinion on Merits: Clarified that no observations were made regarding the substantive merits of the underlying dispute.
2026 INSC 906
G. Sita Ram Chander v. Tummala Suresh Chandra Chatterjee (D.O.J. 05.08.2026)



