Civil litigation often raises a significant procedural question:
Can a person who purchases property during pendency of litigation be impleaded as a party to the suit?
The Supreme Court addressed this issue in Thomson Press (India) Ltd. v. Nanak Builders & Investors Pvt. Ltd. (2013) and clarified the law relating to Order I Rule 10 CPC, transferee pendente lite, and the doctrine of lis pendens under Section 52 of the Transfer of Property Act. The case remains a leading authority on impleadment of subsequent purchasers in suits for specific performance.
Introduction
Civil courts frequently encounter situations where property involved in litigation is transferred to third parties during pendency of proceedings.
An important procedural issue arises:
Should such purchasers be allowed to become parties to the suit?
The Supreme Court examined this issue and clarified the relationship between:
- Order I Rule 10 CPC
- Doctrine of lis pendens
- Rights of subsequent purchasers
- Specific performance suits
- Judicial discretion in impleadment applications
The judgment significantly clarified when a purchaser pendente lite may be treated as a necessary or proper party.
Case Details
Case Name
Thomson Press (India) Ltd. v. Nanak Builders & Investors Pvt. Ltd.
Year
2013
Citation
(2013) 5 SCC 397
Court
Supreme Court of India
Relevant Provision
Order I Rule 10, Civil Procedure Code, 1908
Related Law
Section 52, Transfer of Property Act, 1882 (Doctrine of Lis Pendens)
Subject Matter
Impleadment of Subsequent Purchaser in Specific Performance Suit
Also Read: Kasturi v. Iyyamperumal (2005)
Facts of the Case
The dispute arose from a suit for specific performance concerning immovable property situated in New Delhi.
During pendency of litigation, certain sale deeds were executed in favour of Thomson Press (India) Ltd. even though proceedings relating to the property were already pending before the court.
Thomson Press sought impleadment under Order I Rule 10 CPC, contending that:
- It had acquired interest in the property
- Any decree passed in the suit would affect its rights
- Its presence was necessary for effective adjudication
The plaintiff opposed impleadment and argued that:
- The transfer took place during pendency of litigation
- The purchaser was bound by the doctrine of lis pendens
- Such impleadment was unnecessary.
Issues Before the Court
Issue 1
Whether a purchaser pendente lite can be impleaded in a suit for specific performance?
Issue 2
Whether transfer during pendency of litigation becomes void?
Issue 3
Whether a subsequent purchaser qualifies as a necessary or proper party under Order I Rule 10 CPC?
Issue 4
What is the effect of Section 52 of the Transfer of Property Act?
Judgment of the Supreme Court
The Supreme Court held that:
A subsequent purchaser pendente lite may be impleaded as a party in a suit for specific performance.
The Court clarified that:
Transfer during pendency of litigation is not void, but remains subject to the final result of pending proceedings.
The Court explained that:
- A subsequent purchaser derives title through the defendant/vendor
- Any decree in the suit directly affects such purchaser
- Their presence may help effective adjudication and avoid multiplicity of proceedings
Accordingly, the Court permitted impleadment of the subsequent purchaser.
Doctrine of Lis Pendens
One of the most important aspects of this case was the Court’s discussion of:
Lis Pendens
Under Section 52 of the Transfer of Property Act:
Property cannot be transferred so as to defeat rights arising from pending litigation.
However, the Court clarified:
Such transfer is not invalid or void.
Instead:
The transfer remains subordinate to the result of litigation.
Thus, a purchaser pendente lite purchases property:
At his own risk and subject to outcome of the suit.
Also Read: Mumbai International Airport Pvt. Ltd. v. Regency Convention Centre & Hotels Pvt. Ltd. (2010)
Necessary Party and Proper Party
Necessary Party
A necessary party is:
A person without whom no effective decree can be passed.
Proper Party
A proper party is:
A person whose presence enables complete adjudication.
The Supreme Court clarified that:
A subsequent purchaser in a specific performance suit may qualify as a proper and, in certain circumstances, a necessary party because the decree may substantially affect acquired rights.
Legal Principles Established
1. Transfer During Litigation Is Not Void
The Court held:
Transfer pendente lite remains legally valid but subordinate to the outcome of litigation.
2. Subsequent Purchaser Can Seek Impleadment
A purchaser acquiring rights during pendency of proceedings:
May seek addition under Order I Rule 10 CPC.
3. Lis Pendens Protects Pending Litigation
Section 52 ensures:
Rights of litigating parties are protected against prejudicial transfers.
4. Multiplicity of Proceedings Must Be Avoided
The Court emphasized:
Impleadment may prevent future litigation and conflicting decisions.
Why This Case is Important?
This judgment is important because it:
- Explains Order I Rule 10 CPC
- Clarifies rights of transferee pendente lite
- Explains doctrine of lis pendens
- Protects specific performance proceedings
- Clarifies when subsequent purchasers may be impleaded
The judgment is highly relevant in:
- Property disputes
- Specific performance suits
- CPC studies
- Transfer of Property Act discussions
- Judiciary examinations
Key Takeaways
| Concept | Principle |
|---|---|
| Transferee Pendente Lite | Purchaser during litigation |
| Lis Pendens | Transfer subject to outcome of suit |
| Order I Rule 10 CPC | Court may implead purchaser |
| Specific Performance Suit | Purchaser may be proper party |
| Transfer During Suit | Valid but subordinate to decree |
Conclusion
Thomson Press (India) Ltd. v. Nanak Builders & Investors Pvt. Ltd. (2013) remains a landmark judgment on impleadment of subsequent purchasers under Order I Rule 10 CPC. The Supreme Court clarified that transfer during litigation is not void and that a purchaser pendente lite may be added as a party where effective adjudication requires their presence.
The judgment continues to guide Indian courts in balancing procedural fairness, property rights, and judicial efficiency in civil litigation.


