The Supreme Court held that past irregular
promotions cannot justify perpetuating illegality. Accordingly, the Court
dismissed the appeal of a retired peon who sought promotion to the position of
Tracer, arguing that others had been promoted to the role despite recruitment
rules mandating that the position be filled through direct recruitment rather
than promotion from lower ranks. A bench comprising Justice J K Maheshwari and
Justice Rajesh Bindal heard an appeal stemming from the Orissa High Court's
decision, where the appellant, a retired peon, sought promotion to the post of
Tracer based on the prior illegal promotions of her counterparts. The Orissa Subordinate Architectural Service Rules, 1979 ("1979
Rules"), require that the post of Tracer be filled entirely through direct
recruitment. However, despite these rules, promotions from non-feeder posts,
such as peons, had taken place, leading to a perception of discrimination.
In rejecting the appellant's claim, the
judgment authored by Justice Rajesh Bindal emphasized that Article 14 of the
Constitution prohibits negative discrimination. The Court clarified that while
promotions were granted to other peons, these promotions were deemed illegal as
they violated the established recruitment rules. The Court further stated that
such illegal actions could not serve as a precedent to justify or continue the
illegality by promoting the appellant to the position of Tracer, as the promotion
was not in accordance with the rules. Consequently, the appellant’s request for
promotion based on these unlawful precedents was dismissed. “Another argument
was raised while referring to two communications dated 28.06.1999 appointing
Ms. Jhina Rani Mansingh and Sri Lalatendu Rath as Tracer on promotion, claiming
to be from the post of Peon, on the basis of which the petitioner is claiming violation
of Article 14, namely the discrimination. Suffice to add, this Court cannot put
a stamp on the illegalities committed by the department while perpetuating the
same. A litigant coming to the Court cannot claim negative discrimination
seeking direction from the Court to the department to act in violation of the
law or statutory Rules. It is a settled proposition of law that Article 14 does
not envisage negative equality”.
The Court also referenced the case of R. Muthukumar & Others v. The
Chairman and Managing Director, TANGEDCO & Others (2022), where it was held that "if there
has been a benefit or advantage conferred on one or a set of people, without
legal basis or justification, that benefit cannot multiply, or be relied upon
as a principle of parity or equality." Applying this principle, the Court
concluded that the illegal promotions granted to other peons could not be used
as a justification to promote the appellant, leading to the dismissal of the
appeal.