This civil appeal addressed whether a sole surviving husband could execute a valid gift deed for the entirety of a property inherited jointly with his daughter under Section 15 of the Hindu Succession Act, 1956. The Supreme Court held that while the husband possessed absolute ownership over his undivided half share and could legally gift it without the co-sharer’s consent, he could not validly transfer the entire property. Because the plaintiff claimed absolute title and possession over the whole property rather than a partial undivided share, and failed to establish delivery of possession, the apex court partially allowed the appeal to recognize her title strictly over the undivided half share under the gift deed while leaving her to pursue a separate partition suit for physical demarcation.
- Background and Trial Proceedings:
- The plaintiff (Maragadham) filed a suit for declaration of title and recovery of possession based on a 1990 registered gift settlement deed executed by her grandfather, Kuttiyappa Goundar (defendant No. 1), covering multiple survey lands.
- Defendant Nos. 2 to 4 contested the suit, asserting that the property originally belonged to Muniammal (Kuttiyappa Goundar’s deceased first wife and defendant No. 3’s mother) via 1949 sale and gift deeds, and that Kuttiyappa Goundar held no exclusive right to gift it.
- The Trial Court decreed the suit in favor of the plaintiff, concluding the properties became Kuttiyappa Goundar’s exclusive property upon his wife’s death.
- Appellate Reversals:
- The First Appellate Court and subsequently the Madras High Court reversed the Trial Court’s decision, ruling that upon Muniyammal’s death intestate, the property devolved equally upon her husband and daughter under Section 15 of the Hindu Succession Act, 1956.
- The lower appellate forums held the gift deed entirely void because Kuttiyappa Goundar attempted to transfer the whole property without the co-sharer daughter’s consent, and noted that the plaintiff failed to establish actual possession.
- Supreme Court’s Analysis and Holdings:
- Absolute Nature of the Half Share: The Supreme Court affirmed that the properties devolved in equal halves between Kuttiyappa Goundar and his daughter Muniammal under Section 15(1)(a) of the Act of 1956.
- Validity of Alienation: The undivided half share in Kuttiyappa Goundar’s hands did not constitute coparcenary property; it was his absolute property. Therefore, he had the full legal right to gift or alienate his undivided half share to anyone without needing the co-owner’s consent.
- Limitations on Relief: Although Order VII Rule 7 of the CPC allows courts to grant lesser reliefs, it does not permit granting a completely different case from the one pleaded. Because the plaintiff claimed absolute ownership and possession of the entire property (which failed), she could only be granted a declaration of title over the validly gifted undivided half share.
- Final Outcome: The Supreme Court partially allowed the appeal, setting aside lower court judgments to the extent that they completely invalidated the gift. The plaintiff was granted a declaration of title specifically regarding the undivided half share, with liberty to file a separate proceeding for partition by metes and bounds, which the jurisdictional court was requested to expedite.
2026 INSC 757
Periyaraja and others v. Maragadham (D.O.J. 29.07.2026)




