DEEPIKA SINGH VS. CENTRAL ADMINISTRATIVE TRIBUNAL AND  ORS.  

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INTRODUCTION 

The following case is a landmark decision by the Supreme Court of India. It addresses the  issue of maternity leave and also interprets and expands the traditional understanding of a  family under Indian law. This commentary will delve into the facts, issues raised, contentions,  rationale, defects of laws, and the court’s interference in this significant case. 

FACTS 

The appellant was Deepika Singh in this case was working as a nursing officer at the  Postgraduate Institute of Medical Education and Research (PGIMER) in Chandigarh. She  was married to Amir Singh on 18 February 2014. Amir Singh had 2 children already from his  1st marriage where his wife passed away on 16 February 2013. Later on, the appellant had her  1st biological child with Amit Singh in 2019. She applied for maternity leave under the rule  43 of the Central Civil Services (leave) Rules, 19721. But her request for leave was rejected as  she had already added the husband’s two children’s name to her official service board record  at PGIMER. This was done on 4 May 2015. After Deepika’s first child was born on 4 June  2019, she filed for the maternity leave under Rule 43 of the Central Civil Services (Leave)  Rules, 1972, from 27 June 2019 to 23 December 2019. PGIMER rejected her maternity leave  application on 3 September 2019 on the grounds that she had already used child care leave  for her husband’s children, and thus her biological child was considered her third child,  making her ineligible for maternity leave. Moreover, instead of maternity leave, her leave  was categorized as earned leave, medical leave, half pay leave and extraordinary leave. The  appellant had to appeal to the apex court since The Central Administrative Tribunal (CAT)  and the Punjab and Haryana High Court upheld the decision of the employer.  

ISSUE RAISED 

1. If Deepika Singh’s statutory right to maternity leave could be  restricted because she had used child care leave previously on her  non-biological children rather than her biological child?  

2. If the denial of maternity leave to a woman who has already availed  childcare leave for her step children would violate her right to  equality which comes under the Article 14 of the Indian  

Constitution? 

3. Whether atypical families should receive equal benefits under social  welfare legislation?  

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CONTENTION 

In the judgement of Supreme Court of India interpreted the definition of family under the  Centre Services (leave) rules 19722to be gender neutral. The court also interpreted that it  should be inclusive of all types of families whether they are single-parent families, same-sex  couples, stepfamilies etc. The court held that the definition of family does not have limitation  to its traditional interpretation i.e. as a unit consisting of a husband, wife and their biological  children. The bench reasoned the following because the traditional notion of family is  outdated and discriminatory. The court emphasised that such traditional models do not  consider the reality of families where the children are born out of the wedlock, where there’s  stepchildren in the family or the scenario of queer couples being parents.  

The appellant contended that her right to maternity leave was denied and it should not be  denied based on her previous use of childcare leave for her husband’s children. She  contended that the refusal of maternity leave was against the principles of natural justice and  procedural fairness. 

RATIONALE  

The Supreme Court had to interpret the extent of Rule 43 and decide if the  CAT’s ruling was in accordance with the law. In the rule of natural justice, there  are two primary elements: nemo judex in causa sua (no man is to be a judge in his own  cause) and audi alteram partem (hear the other side). In the case of the appellant who was  Deepika, emphasis was given to the fact that her rights were not denied unjustly and that she  was dealt with fairly by her employer and the administrative tribunals. Moreover, the  appellant was also initially denied maternity leave without a fair consideration of her  circumstances and it was only when the supreme court evaluated the decision, she was  provided with an opportunity to present her arguments and receive a fair hearing. Aligning  with the principle of audi alteram partem, it ensures that both sides of the case are heard before making the final decision.  

The act of denial of maternity leave based solely on her husband’s previous children was  deemed to be arbitrary. The Supreme Court’s intervention prevented such arbitrary decisions and hence upheld the principle of natural justice by ensuring that administrative actions are  reasonable and backed by law. The court adopted a purposive interpretation of the Central  Civil Services (Leave) Rules, 1972 in the following case. Purposive interpretation is a legal  interpretation that focuses on the intention of the legislature when drafting the law and seeks  to understand the true intention behind the legislation. The court used a purposive  interpretation of the Central Civil Services (Leave) Rules, 1972, to see that the purpose of  providing maternity leave was achieved and prevented a technical interpretation that would  have unjustly taken away the appellant’s rights and followed the principles of natural justice  and ensured justice into the administrative action.  

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DEFECTS OF LAWS 

The case highlighted several defects in the laws and the application of laws. Firstly, the case  had a limited definition of family under Indian law. Historically and traditionally the  definition of a family is interpreted as a nuclear family made up of a mother, father, and their  biological child. The definition does not consider unconventional family forms like single parent families, unmarried couples, and queer relationships. The supreme court pointed out  that non-traditional families are just as real and deserving of legal sanction as traditional  ones. This broadening reinforces the requirement for legal systems to be responsive to  varying family structures, providing equal protection of the law to all families.  

The following case also pointed out the inflexibility in the inflexibility in maternity leave  rules, particularly Rule 43 of the Central Civil Services (Leave) Rules, 19723. Deepika’s  request for maternity leave was rejected as she had taken child care leave for her step children  earlier. The decision was taken on a rigid interpretation where she was counted as having her  third child as it was her first biological child. The intervention by the Supreme Court brought  clarity that child care leave and maternity leave are different entitlements. The court held that  taking child care leave for step children should not limit the right of a woman to take  maternity leave for her biological child. The judgment emphasized the requirement of having  more flexible and comprehensive maternity leave schemes accommodating different family  conditions which are unconventional but needed for acceptance in society.  

There was lack of clarity and consistency in the administrative interpretation of rules of  service on the legislative’s part. The Punjab and Haryana High Court and the Central  Administrative Tribunal (CAT) supported the ruling denying Deepika maternity leave,  arguing that she had two living children from her husband’s first marriage. The ruling rested  on a narrow interpretation of rules without regard for the larger social scenarios or for the  difference between maternity and child care leave.  

The judgment of the Supreme Court highlighted the need for firm and consistent  administrative decisions in keeping with the social welfare aims of the law. It also  emphasized that administrative actions must be motivated by a sense of fairness and justice, such that persons are not arbitrarily deprived of their statutory rights on the basis of  traditional norms.  

It is important in bridging the gap between law as norm and the reality of society. Through  interpreting laws in a way that favors marginalized segments of society, the judiciary can  make legal principles valid and fair for all citizens of society. In the following case also the  supreme court pointed out a lack of adequate consideration of social welfare goals in  administrative decisions. The denial of maternity leave at the first instance did not take into  consideration the greater aim of maternity leave, which is to enable women to serve as  

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caregivers and workers. The Supreme Court ruling placed importance on the purposive  interpretation of laws so that they reflect their intended social goals.  

Finally, the case illustrated a lack of gender sensitivity in administrative action. The refusal of  maternity leave to the appellant initially revealed a failure to take into account the gendered  roles and responsibilities that women usually have in care work in families. Especially in  cases like these, where there are multiple children in the family, the ruling of the Supreme  Court underscored the need for gender-sensitive policy that assists women in reconciling their  work and family obligations.  

The abovementioned issues were the defects of laws in the case. The Apex Court’s judgment  addressed these defects by expanding the definition of family, clarifying the distinction  between maternity and child care leave, emphasizing the need for clear and consistent  administrative decisions, and promoting a purposive interpretation of laws that aligns with  social welfare objectives. This decision underscores the importance of adapting legal  frameworks to contemporary societal realities and therefore ensuring the laws remain  inclusive, equitable, and responsive to the changing needs of society. 

INTERFRENCE  

The Supreme Court’s intervention was essential for several reasons. It firstly aimed to correct  certain administrative errors which denied the appellant the maternity rights. By setting aside  the judgements given by CAT and High Court respectively, it aimed to ensure that the  appellant received the maternity benefits under the ambit of law. The apex court also  expanded the definition of family and marked a significant shift in the legal landscape of  family. It brought awareness and reform in the interpretration of the traditional meanings of  terms. The apex court also upheld the principle of equality and justice in the Indian  constitution. The ruling is a testament to the court’s dedication to social justice through the  interpretation of laws in a way that favors marginalized sections of society. This ensures that  the gap between legal norms and societal realities is bridged, making the law relevant and  fair.  

SUBMITTED BY KHUSHI MISHRA, A 1ST YEAR STUDENT FROM LLOYD LAW  COLLEGE, AN INTERN UNDER AMIKUS QRIAE

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