Understanding the top landmark judgments of 2022 is essential for every CLAT PG aspirant, as this set of Supreme Court rulings reshaped reservation law, criminal procedure, reproductive rights, and the enforcement powers of investigative agencies in India.
Several petitioners challenged the amendment, arguing that reservation based purely on economic criteria, while simultaneously excluding SC, ST, and OBC candidates from this quota, violated the equality code and the basic structure of the Constitution.
Issues
Whether reservation based solely on economic criteria, without any reference to social or educational backwardness, is constitutionally permissible under the equality provisions.
Whether excluding SC, ST, and OBC candidates from the EWS quota amounted to discrimination
WWhether breaching the 50 percent ceiling for this specific quota violated the basic structure doctrine.
Judgment
The Supreme Court upheld the 103rd Amendment by a 3:2 majority, holding that economic criteria alone can form a valid basis for affirmative action and does not, by itself, violate the equality code or the basic structure.
The majority reasoned that excluding SC, ST, and OBC candidates from the EWS quota is justified since they already benefit from separate reservation categories, and this exclusion does not amount to discrimination against them.
The two dissenting judges held that permanently excluding the most disadvantaged classes from a poverty-based quota was itself discriminatory, though their view did not prevail.
The petitioner challenged the constitutional validity of Section 124A of the Indian Penal Code, the colonial-era sedition provision, arguing that it had a chilling effect on free speech and was frequently misused against journalists, activists, and political dissenters.
The Union government, midway through the hearing, informed the Court that it intended to reconsider and re-examine the provision at the executive level.
Issues
Whether Section 124A, in its present form, violates the freedom of speech and expression guaranteed under Article 19(1)(a).
What interim measures were necessary while the constitutional validity of the provision remained under examination and the government proceeded with its own review.
Judgment
The Supreme Court did not strike down Section 124A but directed that all pending trials, appeals, and proceedings under the provision remain in abeyance, and that no fresh FIRs be registered under it until the Union government completed its re-examination.
It urged both the central and state governments to refrain from invoking the provision in the interim, effectively placing the sedition law in a state of suspension. The order marked an unusual judicial intervention that paused an entire penal provision without formally deciding its constitutionality.
The case arose from an appeal against the acquittal of an accused in a rape case, where the Jharkhand High Court had relied partly on findings from a two-finger test conducted on the survivor to assess her sexual history.
The Supreme Court took note of this discredited forensic practice, which examines the state of the hymen and vaginal laxity, while deciding the criminal appeal before it.
Issues
Whether the two-finger test, still practised despite prior judicial disapproval, violates a sexual assault survivor's fundamental rights under Article 21.
What binding directions were necessary to ensure the practice does not continue to influence criminal investigation and trial outcomes.
Judgment
The Supreme Court declared the two-finger test to have no scientific basis and held that its continued use violates the survivor's right to privacy, dignity, and physical and mental integrity under Article 21.
It directed the central and state governments to ensure that healthcare providers stop conducting the test and to incorporate this prohibition into medical curricula and guidelines for examining sexual assault survivors. The Court also warned that any medical professional found conducting the test going forward would be guilty of misconduct.
An unmarried woman, in a consensual relationship, sought to terminate her twenty-two-week pregnancy after the relationship ended, but the Delhi High Court denied her relief since Rule 3B of the Medical Termination of Pregnancy Rules, 2003, listed specific categories of women eligible for termination up to twenty-four weeks and did not include unmarried women whose pregnancy arose from a consensual relationship.
She approached the Supreme Court challenging this exclusion.
Issues
Whether restricting access to abortion up to twenty-four weeks based on marital status violates the right to reproductive autonomy and equality under Articles 14 and 21.
Whether the term "change of marital status" under Rule 3B should be interpreted narrowly or read to include unmarried women facing a change in their relationship status.
Judgment
The Supreme Court held that denying unmarried women the same right to abortion available to married women, based purely on marital status, violates their right to reproductive autonomy and dignity under Article 21.
It read the MTP Rules purposively to include unmarried women within the twenty-four-week category, holding that the law must recognise every woman's right to make reproductive choices regardless of her marital status.
The Court also clarified that the term "husband" in the marital rape exception under the MTP Act must be read as "partner" for the purpose of determining pregnancy from sexual assault within a relationship.
A batch of petitioners challenged several provisions of the Prevention of Money Laundering Act, 2002, arguing that the wide powers of arrest, search, and seizure given to the Enforcement Directorate, along with the reversed burden of proof and stringent bail conditions under Section 45, violated constitutional protections available to an accused.
The petitioners also argued that the Enforcement Case Information Report should be treated on par with an FIR and supplied to the accused as a matter of right.
Issues
Whether the twin conditions for bail under Section 45, reintroduced after being struck down in Nikesh Tarachand Shah v. Union of India, were constitutionally valid.
Whether PMLA proceedings qualify as criminal prosecution attracting ordinary procedural safeguards, and whether the ECIR must be supplied to an accused in the same manner as an FIR.
Judgment
The Supreme Court upheld the constitutional validity of the ED's powers of arrest, search, seizure, and attachment, along with the reversed burden of proof under Section 24 and the twin conditions for bail under Section 45.
It held that the ECIR is an internal document of the Enforcement Directorate and, unlike an FIR, need not be supplied to the accused, since disclosure of the grounds of arrest suffices to meet constitutional requirements.
The Court characterised money laundering as a distinct and grave economic offence, justifying a stricter procedural regime than ordinary criminal law, though this ruling later attracted several review petitions on specific aspects.