The Supreme Court allowed the criminal appeal, setting aside both the Chhattisgarh High Court’s judgment and the ex parte externment order passed against the appellant. The High Court had erred in dismissing the appellant’s writ petition and relegating him to an alternative statutory appeal under Section 9 of the Chhattisgarh Rajya Suraksha Adhiniyam, 1990, despite clear violations of natural justice and jurisdictional overreach. The Supreme Court ruled that an administrative authority lacks the inherent power to review or reopen a closed externment case without explicit statutory backing, and that passing an externment order behind the appellant’s back while he was in judicial custody, without serving notice or granting a hearing under Section 8 of the Adhiniyam, rendered the order void ab initio.
- Mandatory Safeguards of Hearing: Section 8 of the Adhiniyam makes the issuance of notice and the provision of a reasonable opportunity of hearing a strict condition precedent before an externment order can be passed, allowing ex parte proceedings only under specific statutory contingencies like failure to execute attendance bonds.
- Incompetence to Review/Reopen: Administrative authorities enjoy no inherent power of review or recall; once an externment proceeding is expressly closed with a warning, it cannot be suo motu reopened without repeating the statutory procedure afresh.
- Misapplication of Section 5(b): The invocation of Section 5(b) of the Adhiniyam was legally flawed because the underlying allegations—pertaining to speech-related offenses concerning religion—did not involve force, violence, or the specific categories of offenses enumerated under the provision.
- Exception to Alternative Remedy: The High Court was unjustified in refusing to entertain the writ petition under Article 226 on grounds of alternative remedy, as the challenge went to the root of jurisdictional defects and blatant breaches of fundamental rights and natural justice.
2026 INSC 926
Vijay Kumar Rajpoot Alias Vijju v. State of Chhattisgarh & Ors. (D.O.J. 31.08.2026)




