Supreme Court Emphasizes Need for Standardized Guidelines in Title Clearance Reports to Prevent Fraudulent Transactions 

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The Supreme Court of India, in the Central Bank of India v. Smt. Prabha Jain case, stressed the necessity for banks to meticulously verify title clearance reports before granting loans on immovable property. The ruling advocates for standardized guidelines to curb fraudulent transactions and emphasize the jurisdiction of civil courts regarding property title disputes, enhancing public interest in secured lending.

Supreme Court Emphasizes Need for Standardized Guidelines in Title Clearance Reports to Prevent Fraudulent Transactions 

New Delhi: A bench of the Supreme Court comprising Justice J.B. Pardiwala and Justice R. Mahadevan has highlighted the importance of thorough verification of title clearance reports by banks before granting loans secured by immovable property. The ruling emphasizes the need for standardized guidelines to prevent fraudulent transactions and protect public interest in secured lending practices.

The case, Central Bank of India & Anr. v. Smt. Prabha Jain & Ors. (Civil Appeal No. 1876 of 2016), underscores the critical role of due diligence in mitigating disputes arising from improper title verification, particularly in the context of loans secured by mortgages.

The dispute arose when Smt. Prabha Jain filed a civil suit challenging the legality of a sale deed executed by her brother-in-law, Sumer Chand Jain, in favor of a third party, Parmeshwar Das Prajapati. The property was subsequently mortgaged to Central Bank of India as collateral for a loan.

Following the borrower’s default, the Bank initiated proceedings under the Securitisation and Reconstruction of Financial Assets and Enforcement of Security Interest Act, 2002 (SARFAESI Act), to recover the loan. Smt. Prabha Jain claimed the property was ancestral and argued that the sale and mortgage deeds were invalid. Her suit sought a declaration nullifying these transactions, possession of the property, and damages for wrongful possession.

Supreme Court Emphasizes Need for Standardized Guidelines in Title Clearance Reports to Prevent Fraudulent Transactions 

The Supreme Court made several critical observations in the case, including:

  1. Jurisdiction of Civil Courts: The Court reaffirmed that civil courts retain jurisdiction over disputes concerning property titles and the validity of transactions executed prior to the invocation of the SARFAESI Act. It stated: “The jurisdiction of the Debts Recovery Tribunal is confined to actions taken under Section 13(4) of the SARFAESI Act. Disputes regarding title or validity of documents, which precede the creditor’s enforcement measures, remain within the domain of civil courts.”
  2. Bank’s Due Diligence: The Court emphasized the need for rigorous title verification processes, stating that banks must not rely solely on title clearance reports without proper scrutiny. It highlighted the importance of implementing standardized practices to prevent disputes and safeguard public interest.
  3. Balance Between Expediency and Rights: The judgment underscored that while the SARFAESI Act aims to expedite debt recovery, it cannot override the rights of innocent third parties with legitimate claims.

The Supreme Court upheld the decision of the Madhya Pradesh High Court to restore the suit filed by Smt. Prabha Jain. It rejected the Bank’s application for dismissal of the plaint under Order VII Rule 11 of the Civil Procedure Code, emphasizing that:

  • The plaintiff’s claims regarding the validity of the sale and mortgage deeds were outside the DRT’s jurisdiction under the SARFAESI Act.
  • Civil courts retain jurisdiction to adjudicate disputes involving title and validity of transactions.

The Court also reiterated that a plaint cannot be partially rejected under Order VII Rule 11, ensuring that all reliefs sought by the plaintiff would be adjudicated upon. This judgment highlights the importance of due diligence and standardized guidelines in preventing fraudulent transactions and protecting public interest in secured lending practices.

Case Title – CENTRAL BANK OF INDIA & ANR. vs SMT. PRABHA JAIN & ORS

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