I.C. Golak Nath vs State of Punjab (AIR 1967 SC 1643)
The case of I.C. Golak Nath v. State of Punjab (AIR 1967 SC 1643) is one of the most significant landmark judgments in the history of Indian constitutional law. It dealt with the question of whether the Parliament had the power to amend the Fundamental Rights enshrined in Part III of the Indian Constitution. This case is pivotal as it established the principle that Parliament cannot amend the Constitution in a way that infringes upon the Fundamental Rights.
Background of the Case:
The dispute arose from the Constitution (Seventeenth Amendment) Act, 1964, which included certain laws under the Ninth Schedule of the Indian Constitution, thereby insulating them from judicial review. Golak Nath, the petitioner, was a member of a family whose property was affected by the provisions of the Punjab Security of Land Tenures Act, 1953. The Act aimed to redistribute land and place ceilings on land holdings, which was seen as an infringement on the rights of landowners.
Golak Nath challenged the validity of the Constitution (Seventeenth Amendment) Act, arguing that the amendment violated his Fundamental Rights under Article 19, which guarantees protection to certain rights like the right to property. The main issue in the case was whether Parliament could amend the Constitution to take away Fundamental Rights, particularly those under Article 19.
Legal Issues:
The core question before the Supreme Court was whether Parliament had the power to amend Part III of the Constitution, specifically the Fundamental Rights, through the process of amendment under Article 368 of the Constitution. Article 368 empowers Parliament to amend the Constitution, but the contention in this case was whether this power extended to altering the Fundamental Rights.
The petitioners argued that Fundamental Rights are the core of the Constitution and cannot be altered or amended by Parliament under its power of constitutional amendment, while the respondents (State of Punjab) argued that the Constitution gave Parliament full authority to amend any part of the Constitution, including the Fundamental Rights.
Court’s Judgment
The Supreme Court, in a majority judgment, ruled in favor of Golak Nath and held that Parliament does not have the power to amend the Constitution in such a way that it infringes upon or alters the Fundamental Rights. The judgment marked a significant departure from the earlier interpretation of the Constitution. The Court ruled that the “amending power” under Article 368 does not extend to altering or abridging the Fundamental Rights.
The key points of the judgment are as follows:
- Fundamental Rights are Immutable:
The Court held that Fundamental Rights are the very essence of the Constitution and represent a basic structure of the Constitution that cannot be amended by Parliament. It was concluded that no part of the Constitution, including Part III (Fundamental Rights), could be altered or amended so as to violate or change these rights.
- Doctrine of “Basic Structure”:
While the doctrine of “Basic Structure” was not explicitly invoked in this case, it was understood that the Fundamental Rights form part of the basic structure of the Constitution. This became a foundation for the Court’s reasoning in later cases such as Kesavananda Bharati (1973), where the concept of basic structure was developed more explicitly.
- Power of Amendment:
The Court held that while Parliament has the power to amend the Constitution under Article 368, it does not have the power to alter or destroy its basic framework, particularly the Fundamental Rights. Parliament can amend other parts of the Constitution, but any amendment that diminishes or takes away Fundamental Rights would be ultra vires (beyond the powers) of Parliament.
- Overruling Previous Decisions:
The Court overruled its earlier decision in Shankari Prasad v. Union of India (1951) and Sajjan Singh v. State of Rajasthan (1965), where it had upheld Parliament’s power to amend Fundamental Rights. The Golak Nath case was seen as a significant shift in the Court’s approach to the relationship between the amendment power and Fundamental Rights.
Majority and Dissenting Opinions:
The judgment was delivered by Chief Justice Subba Rao and Justice J.R. Mudholkar, who were in the majority. They were joined by Justices K.K. Mathew and H.R. Khanna, who concurred with the view that Fundamental Rights cannot be amended by Parliament.
However, Justice Wanchoo dissented, arguing that Parliament had the authority to amend any part of the Constitution, including Fundamental Rights, under the broad power conferred by Article 368.
Significance of the Judgment:
The Golak Nath case is of monumental significance in the development of Indian constitutional law for the following reasons:
- Limitation on Parliament’s Power:
The decision limited the power of Parliament by establishing that it could not amend the Constitution to abrogate Fundamental Rights. This made it clear that certain parts of the Constitution are sacrosanct and cannot be altered by ordinary legislative processes.
- Foundation for Basic Structure Doctrine:
While the basic structure doctrine was not explicitly formulated in this case, the judgment laid the groundwork for the Court’s later development of this principle in Kesavananda Bharati v. State of Kerala (1973), where the Supreme Court ruled that certain fundamental features of the Constitution could not be altered by amendments.
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Impact on Future Constitutional Amendments:
After the Golak Nath decision, Parliament faced the challenge of making constitutional amendments without infringing on Fundamental Rights. The decision encouraged more debate on the balance of power between Parliament and the judiciary.