Supreme Court Strikes Down Tamil Nadu Rule Empowering Registrars to Verify Property Titles image for SC Judgment dated 06-04-2025 in the case of K. Gopi vs The Sub-Registrar & Ors.
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Supreme Court Strikes Down Tamil Nadu Rule Empowering Registrars to Verify Property Titles

In a landmark judgment that clarifies the limits of a registrar’s powers, the Supreme Court has struck down Rule 55A(i) of the Tamil Nadu Registration Rules, declaring it ultra vires the Registration Act, 1908. The case arose when K. Gopi’s property sale deed was repeatedly rejected by the Sub-Registrar for failing to prove his vendor’s title, leading to a constitutional challenge against the state’s registration rules.

The Dispute

The case began when:

  • On September 2, 2022, Jayaraman Mudaliyar executed a sale deed in favor of K. Gopi
  • The Sub-Registrar refused registration citing Rule 55A(i)
  • Despite the District Registrar directing reconsideration, registration was again denied
  • Writ petitions at the Madras High Court upheld the Registrar’s actions

Key Legal Provisions

Contested Rule 55A(i):

“The registering officer…shall not register the same, unless the presentant produces the previous original deed by which the executant acquired right over the subject property and an Encumbrance Certificate pertaining to the property obtained within ten days from the date of presentation”

Registration Act, 1908 (Section 69):

Empowers rule-making for:

  1. Safe custody of documents
  2. Language declarations
  3. Territorial divisions
  4. Regulation of fines
  5. Office proceedings

Arguments Presented

Appellant’s Contentions:

“The Sub-Registrar…is not empowered to go into the question of the title of the person executing the document…Rule 55(A)(i) is ultra vires the provision of the 1908 Act”

State’s Defense:

“Rule 55A has been framed to give effect to the object of preventing registration of bogus transactions…framed well within the Rule-making power conferred under Section 69”

Court’s Analysis

The bench comprising Justices Abhay S. Oka and Ujjal Bhuyan made several crucial observations:

1. Registrar’s Limited Role

“The registering officer is not concerned with the title held by the executant. He has no adjudicatory power to decide whether the executant has any title.”

2. Inconsistency with Parent Act

“Rule 55A(i) is inconsistent with the provisions of the 1908 Act…the rule-making power under Section 69 cannot be exercised to make a Rule that is inconsistent with the provisions of the 1908 Act.”

3. Nature of Registration

The Court clarified that registration only authenticates the execution of documents, not the validity of the transaction or title:

“The execution and registration of a document have the effect of transferring only those rights, if any, that the executant possesses.”

Judgment

The Supreme Court:

  1. Declared Rule 55A(i) ultra vires the Registration Act, 1908
  2. Quashed the High Court’s judgment
  3. Allowed the appellant to present the sale deed for registration within one month
  4. Directed the Registrar to register the document upon procedural compliance

This judgment reinforces that registrars cannot assume adjudicatory functions regarding property titles, maintaining the distinction between registration and title verification that must be done through proper legal channels.

Read also: https://judgmentlibrary.com/supreme-court-judgment-on-specific-performance-of-agreement-to-sell-key-takeaways/


Petitioner Name: K. Gopi.
Respondent Name: The Sub-Registrar & Ors..
Judgment By: Justice Abhay S. Oka, Justice Ujjal Bhuyan.
Place Of Incident: Tamil Nadu.
Judgment Date: 06-04-2025.
Result: allowed.

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