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Mohd. Ahmed Khan Vs. Shah Bano Begum and Ors, AIR 1985 SC 945

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CASE NAMEMohd. Ahmed Khan Vs. Shah Bano Begum and Ors
EQUIVALENT CITATIONAIR 1985 SC 945
DATE OF JUDGMENTApril 23, 1985
Case no.Civil Appeal No. 7454 of 1981
Case type : civil appeal
PetitionerMohd. Ahmed Khan
RESPONDENTShah Bano Begum and others
BENCH/JUDGEChief Justice Y.V. Chandrachud, Justice D.A. Desai, Justice O. Chinnappa Reddy, Justice R.S. Pathak, and Justice M. Hameedullah Beg
Referreddealt with the issue of maintenance for Muslim women

Introduction

Mohd. Ahmed Khan Vs. Shah Bano Begum and Ors is a landmark case in Indian legal history that deals with the issue of maintenance for divorced Muslim women. The case was heard by the Supreme Court of India in 1985 and was widely debated and discussed at the time, as it raised important questions about gender justice and religious freedom in India.

The case revolved around Shah Bano Begum, a Muslim woman from Madhya Pradesh, who was divorced by her husband, Mohd. Ahmed Khan, in 1978. As per Islamic law, her husband was required to provide her with maintenance, but he refused to do so. Shah Bano approached the courts seeking maintenance from her husband, which he again refused to provide. The case eventually reached the Supreme Court of India, which had to decide whether Muslim women were entitled to maintenance beyond the iddat period (the three-month period after divorce during which the wife is entitled to maintenance under Islamic law).

The Supreme Court’s decision in this case was controversial and sparked a heated public debate. While the court ruled in favor of Shah Bano and held that Muslim women were entitled to maintenance under the provisions of the Indian law, it also observed that the Muslim Personal Law Board should consider reforming the law to provide for a more equitable system of maintenance for divorced women.

The case has since been cited in numerous legal proceedings and continues to be a landmark case in Indian legal history. It is widely regarded as a turning point in the struggle for gender justice in India and a significant step towards ensuring equal rights for Muslim women.

Facts of The case

Issues Raised

  1. whether a divorced Muslim woman was entitled to maintenance beyond the iddat period under Section 125 of the Code of Criminal Procedure (CrPC)?
  2. whether Muslim women have the right to claim maintenance from their former husbands after divorce, even if the husband has fulfilled his obligations under Islamic law?
  3. The conflict between personal law and fundamental rights?
  4. whether personal laws can be subject to constitutional scrutiny?

Contention of petitioner

Petitioner raised several contentions. Here are the main contentions:

The petitioner argued that the Muslim Personal Law Board was responsible for providing maintenance to Muslim women and that the civil courts did not have jurisdiction to award maintenance to Muslim women under the Muslim Personal Law.

The petitioner contended that the principles of Shariah Law, as interpreted by the Muslim Personal Law Board, did not permit a Muslim husband to provide maintenance to his divorced wife beyond the period of iddat (three months after the divorce).

The petitioner argued that the Quran did not require Muslim husbands to provide maintenance to their divorced wives beyond the period of iddat.

The petitioner contended that Section 125 of the Criminal Procedure Code, which provides for the payment of maintenance to wives, children, and parents, was unconstitutional as it violated the principles of personal law.

The petitioner argued that requiring Muslim husbands to provide maintenance to their divorced wives beyond the period of iddat would amount to discrimination against Muslim husbands, as it was not required of husbands belonging to other religions.

Contention of Respondent

Judgment

The Supreme Court, in its judgment, held that Muslim women were entitled to maintenance under Section 125 of the Code of Criminal Procedure, 1973, irrespective of the personal law applicable to them. The Court noted that the purpose of Section 125 was to prevent destitution and provide for the basic needs of a divorced woman, and this purpose would be defeated if Muslim women were denied the benefit of the provision.

The Court also held that the Muslim personal law did not bar Muslim women from seeking maintenance under Section 125, and that the obligation to provide maintenance to a divorced woman continued even after the iddat period had ended.

Ratio decidendi

In conclusion, all the judges agreed that Muslim women were entitled to maintenance under Section 125 of the Code of Criminal Procedure. The majority of the judges also held that the provisions of the Muslim Personal Law (Shariat) Application Act, 1937, did not affect this entitlement, and that the right of Muslim women to maintenance was recognised under Islamic law as well. The judgment was a significant step towards gender equality and the protection of women’s rights in India.

Conclusion

The case of Mohd. Ahmed Khan Vs. Shah Bano Begum and Ors AIR 1985 SC 945 was a landmark case that sparked a national debate on the issue of the rights of divorced Muslim women in India. The case centered around the interpretation of Section 125 of the Criminal Procedure Code, which deals with the maintenance of wives, children, and parents.

The Supreme Court’s decision in this case was controversial, as it held that divorced Muslim women were entitled to maintenance under Section 125, even after the expiry of the iddat period. This decision was criticized by many in the Muslim community, who saw it as an interference in their personal laws.

The case also highlighted the need for a uniform civil code in India, which would ensure equal rights for all citizens irrespective of their religion. The issue of a uniform civil code remains a contentious issue in India, with different groups holding divergent views.

In conclusion, the Mohd. Ahmed Khan Vs. Shah Bano Begum and Ors case was a significant moment in the history of women’s rights in India. While the decision was controversial, it paved the way for the recognition of the rights of divorced Muslim women to maintenance and highlighted the need for a uniform civil code.

This article is written by Shashank Singh of ICFAI University, an intern under Legal Vidhiya.

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