Authored By: Shreya Jaitely
Bharati Vidyapeeth Demeed to Be University, New Law College, Pune, India
Case Name: Kesavananda Bharati Sripadagalvaru and Ors. v. State of Kerala and Anr. (1973)
Official Citation: AIR 1973 SC 1461; (1973) 4 SCC 225
Court: The Supreme Court of India
Bench: 13-Judge Constitutional Bench (the largest ever assembled)
Presiding Judge: Chief Justice S.M. Sikri
Date of Judgment: April 24, 1973
Parties Involved:
Petitioner: His Holiness Kesavananda Bharati, the head of Edneer Mutt, representing religious institutional property rights
Respondent: The State of Kerala and the Union of India, representing the government’s socio-economic reform agenda
Facts of the Case:
* Origin of Dispute: The case began when the Kerala government used the Kerala Land Reforms Act, 1963, to acquire lands belonging to a religious monastery (Mutt).
* Legal Expansion: During the litigation, the Indian Parliament passed the 24th, 25th, and 29th Amendments to override judicial decisions that protected private property.
* Constitutional Crisis: These amendments sought to give Parliament absolute power to modify any part of the Constitution, effectively removing the power of the courts to review such changes.
*Strategic Objective: The primary goal of the litigation was to determine if there were any “unspoken” or inherent limits on how much of the Constitution could be changed by a political majority.
Issues Raised:
* What is the definitive scope of the “amending power” provided under Article 368?
* Can Parliament utilize its power to alter the core identity or essential framework of the Constitution?
* Are the 24th, 25th, and 29th Constitutional Amendments intra vires or ultra vires the Constitution?
Arguments of the Parties:
* Petitioner’s Contentions: It was argued that the power to “amend” is not a power to “destroy.” The Petitioner maintained that the Constitution has a permanent soul or identity that cannot be legislated away.
* Respondent’s Contentions: The State argued that the legislature is sovereign and must have unrestricted power to change laws to achieve social and economic equality as per the Directive Principles.
Judgment / Final Decision
* The Verdict: In a historic 7:6 majority decision, the Court upheld the amendments but introduced the “Basic Structure Doctrine”.
* Legal Outcome: The appeal was partially allowed; the Court ruled that Parliament cannot alter the essential features of the Constitution.
* Specific Orders: A portion of the 25th Amendment, which sought to prohibit judicial review of certain laws, was struck down as unconstitutional.
Legal Reasoning / Ratio Decidendi
* The Basic Structure Doctrine: The Court evolved the principle that certain pillars of the Constitution—such as secularism, democracy, federalism, and the rule of law—are beyond the reach of the amending power.
* Conceptual Interpretation: The judges reasoned that “amendment” implies a change that evolves the document while keeping its original framework intact, rather than a total revision.
* Constitutional Supremacy: The reasoning affirmed that the Constitution, not Parliament, is the ultimate authority in India.
Conclusion & Reflection
* Impact: This case prevented India from becoming a “legislative autocracy” and ensured that no single government could dismantle the foundational democratic values of the nation.
* Reflection: It represents a sophisticated judicial compromise that allows for social progress while protecting human rights from political overreach.
List of References
* Primary Source: Kesavananda Bharati Sripadagalvaru and Ors. v. State of Kerala and Anr., (1973) 4 SCC 225; AIR 1973 SC 1461.
* Statutes: The Constitution of India, 1950 (Articles 13, 14, 19, 31, 31C, and 368).
* Amending Acts: The Constitution (24th Amendment) Act, 1971; The Constitution (25th Amendment) Act, 1971; The Constitution (29th Amendment) Act, 1972.
* Key Precedents: I.C. Golaknath v. State of Punjab, AIR 1967 SC 1643; Shankari Prasad v. Union of India, AIR 1951 SC 458.

