Site icon Legal Vidhiya

Mohini Jain v. State of Karnataka, 1992 (Fundamental right to equality of opportunity under Article 14 of Indian Constitution.)

Spread the love
CASE NAMEMohini Jain v. State of Karnataka, 1992
EQUIVALENT CITATION1992 AIR 1858, 1992 SCR (3) 658
DATE OF JUDGMENT30 JULY 1992
Case no.(1992) 3 SCC
Case type :Writ petition (civil) case
PetitionerMISS MOHINI JAIN
RESPONDENTSTATE OF KARNATAKA AND ORS.
BENCH/JUDGEKULDIP SINGH(J), SAHAI, R.M. (J),
ReferredFundamental right to equality of opportunity under Article 14 of Indian Constitution.

Introduction

Mohini Jain v. State of Karnataka was a landmark case that was heard in the Supreme Court of India in 1992. The case was brought before the court to challenge the constitutional validity of the capitation fee charged by private educational institutions for admission to professional courses. This case was significant as it addressed the issue of access to education as a fundamental right and brought to light the problems faced by economically weaker sections of society in accessing higher education.

Background

In the early 1990s, there was a rapid growth in the number of private educational institutions in India. These institutions charged exorbitant fees for admission to professional courses such as engineering, medicine, and law. The fees charged by these institutions were beyond the reach of economically weaker sections of society, who were unable to pay the high fees.

In 1983, the government of Karnataka passed a law that allowed private educational institutions to charge a capitation fee for admission to professional courses. The capitation fee was an amount charged over and above the regular tuition fees and was based on the principle of demand and supply. The higher the demand for a course, the higher the capitation fee charged by the institution.

Facts of The case

Issues Raised

  1. Whether the Right to Education is guaranteed to the citizens of India in consonance with Fundamental Rights, and whether charging a capitation fee infracts the same?
  2. Whether the charging of capitation fee is violative of the equality clause enshrined in Article 14?
  3. Whether the impugned notification permitted the charging of a capitation fee under the guise of regulation?
  4. Whether the notification is violative of the provisions of the Act prohibiting the charging of such fees?

Contention of petitioner

In Mohini Jain v. State of Karnataka (1992), the petitioner raised several contentions in relation to the constitutional validity of the policy of collecting capitation fee by private educational institutions. These contentions can be summarized as follows:

Overall, the petitioner argued that the policy of collecting capitation fee is unconstitutional, arbitrary, discriminatory, and against public policy.

Contention of Respondent

Mohini Jain v. State of Karnataka is a landmark case in India, which dealt with the issue of discrimination against female students in the admission process of medical and dental colleges. The case was heard by the Supreme Court of India and the following are the key contentions made by the respondent:

These were the key contentions made by the respondent in the Mohini Jain v. State of Karnataka case.

Judgment

The Supreme Court of India, in its verdict, upheld the right to education as a fundamental right and ruled that the capitation fee charged by private educational institutions was unconstitutional. The court held that the right to education is a fundamental right guaranteed under Article 21 of the Indian Constitution, which guarantees the right to life and personal liberty.

The court also held that the capitation fee charged by private educational institutions violated the right to equality as enshrined in Article 14 of the Indian Constitution. The court observed that the capitation fee was a fee charged by private educational institutions for the purpose of making profits and was not related to the quality of education provided by the institution. The court held that the capitation fee discriminated against economically weaker sections of society who were unable to pay the high fees and thus denied them equal access to education.

The court also directed the government to take steps to regulate the fees charged by private educational institutions and ensure that they did not charge capitation fees. The court held that the government had a duty to ensure that education was accessible to all and that it was not monopolized by the rich and the powerful.

Ratio decidendi (3:2)

Conclusion

The Mohini Jain v. State of Karnataka case was a landmark case that had far-reaching implications for education in India. The case highlighted the issue of access to education as a fundamental right and brought to light the problems faced by economically weaker sections of society in accessing higher education. The case also established the principle that education is not a commodity that can be sold for profit but a fundamental right that must be accessible to all. The verdict in this case set an important precedent and paved the way for the government to regulate the fees charged by private educational institutions and ensure that education was accessible to all.

Exit mobile version