This execution first appeal under Order XXI Rule 58(4) read with Section 151 of the Code of Civil Procedure, 1908 (CPC) was filed by the appellant, Anita Sharma, to challenge an order dated May 18, 2026 passed by the District Judge-01, South District, Saket Courts, New Delhi in execution proceedings titled Govind Sharda v. Ashok Sharma. The Trial Court had dismissed the appellant’s application under Order XXI Rule 26 read with Rule 58 CPC, wherein she had objected to the attachment of the subject premises. The Delhi High Court, presided over by Justice Harish Vaidyanathan Shankar, dismissed the appeal, ruling that unverified GPA, Agreement to Sell, and an unregistered Will do not confer independent legal title to defeat execution proceedings, and that mere physical possession or assertions of living separately from the judgment debtor are insufficient to obstruct the lawful execution of a decree.
- Nature of Proceedings: Execution First Appeal (EX.F.A. 65/2026) filed under Order XXI Rule 58(4) of the CPC challenging the dismissal of objections raised against property attachment in execution proceedings.
- Core Contentions of the Appellant/Objector:
- The appellant claimed rights over the subject premises based on a Power of Attorney, an Agreement to Sell, and an unregistered Will, all dated September 9, 2008, allegedly executed by the judgment debtor in her favor.
- She contended that she had been in possession of the property for over 15 years and was residing separately from the judgment debtor without knowledge of his current whereabouts.
- Trial Court’s Observations:
- An objector resisting attachment under Order XXI Rule 58 CPC must establish a clear legal right, title, or interest, which cannot be fulfilled through mere assertions unsupported by admissible evidence.
- Unregistered documents like a GPA, Agreement to Sell, and unregistered Will do not amount to a registered sale deed and fail to confer legal title or exclusive ownership over immovable property.
- High Court’s Analysis & Findings:
- Absence of Legal Title: The High Court concurred with the lower court that the documents relied upon by the appellant did not establish an independent legal title or interest capable of defeating the execution of the decree.
- Insufficient Proof of Possession: Mere possession, in the absence of material establishing a valid legal basis or independent ownership right, does not furnish a ground to resist attachment under Order XXI Rule 58 CPC.
- Unsubstantiated Claims: The appellant’s assertion of living separately from the judgment debtor lacked cogent documentary substantiation and, even if accepted, would not create an independent title in the property.
- Final Outcome:
- The appeal along with all pending applications was dismissed, affirming the Trial Court’s impugned order in its entirety.
2026 DHC 6540
Anita Sharma v. Govind Sharda & Anr. (D.O.J. 11.08.2026)




