RANABHAI OGHADBHAI MORI vs RABARI RANIBEN OGHADBHAI MORI — 2/2026
Case under Specific Relief Act, 1963 Section 34,35,36,37. Disposed: Uncontested--DISPOSED OF on 11th March 2026.
RCS - REGULAR CIVIL SUIT
CNR: GJPB030000252026
Filing Number
2/2026
Filing Date
22-01-2026
Registration No
2/2026
Registration Date
22-01-2026
Court
TALUKA COURT-RANAVAV
Judge
1-PRINCIPAL CIVIL JUDGE & J.M.F.C
Decision Date
11th March 2026
Nature of Disposal
Uncontested--DISPOSED OF
Acts & Sections
Petitioner(s)
RANABHAI OGHADBHAI MORI
Adv. M H RATHOD
LAXMIBEN OGHADBHAI MORI W.O. BADHABHAI PALABHAI KODIYATAR
Respondent(s)
RABARI RANIBEN OGHADBHAI MORI
MER HARDASBHAI MUNJABHAI KUCHHADIYA
KHUNTI JAGDISHBHAI PARBATBHAI
Adv. A N THAKRAR
CHANDRIKA BEN NATHABHAI ODEDARA
Adv. A N THAKRAR
KHIMABHAI ARJANBHAI ODEDARA
MER GOGANBHAI LILABHAI KANDHABHAI ODEDARA
ODEDARA MALDEBHAI GIGABHAI
Adv. A N THAKRAR
Hearing History
Judge: 1-PRINCIPAL CIVIL JUDGE & J.M.F.C
Disposed
SUMMONS - NOTICE
SUMMONS - NOTICE
SUMMONS - NOTICE
SUMMONS - NOTICE
| Date | Purpose |
|---|---|
| 11-03-2026 | Disposed |
| 09-03-2026 | SUMMONS - NOTICE |
| 07-03-2026 | SUMMONS - NOTICE |
| 28-02-2026 | SUMMONS - NOTICE |
| 23-02-2026 | SUMMONS - NOTICE |
Final Orders / Judgements
Summary The Gujarat High Court rejected the plaintiff's suit seeking cancellation of 40-year-old property sale deeds, holding it barred by the Limitation Act, 1963. The court found that the plaintiff had knowledge of the original 1984 sale deed and subsequent 2013 transaction but filed the suit only in 2021, far exceeding the 3-year limitation period prescribed under Article 58 for declaratory relief. The court emphasized that when a suit involves multiple causes of action, the limitation period runs from when the right to sue first accrues, and successive violations do not create fresh causes of action. This case analysis is maintained by casestatus.in based on publicly available court records.
Summary The Gujarat High Court rejected the plaintiff's suit seeking cancellation of 40-year-old property sale deeds, holding it barred by the Limitation Act, 1963. The court found that the plaintiff had knowledge of the original 1984 sale deed and subsequent 2013 transaction but filed the suit only in 2021, far exceeding the 3-year limitation period prescribed under Article 58 for declaratory relief. The court emphasized that when a suit involves multiple causes of action, the limitation period runs from when the right to sue first accrues, and successive violations do not create fresh causes of action. This case analysis is maintained by casestatus.in based on publicly available court records.
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