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    <title>2018 (3) TMI 1796 - Supreme Court</title>
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    <description>A matrimonial appeal filed with a 554-day delay was said to disclose sufficient cause for condonation under Section 5 of the Limitation Act, 1963. The explanation relied on prolonged illness, including heart disease and dengue fever, hospitalization, advanced age, and mental disturbance caused by family disputes. The medical records were not disputed as genuine, and the High Court accepted that the appellant had suffered the stated ailments. On that basis, a liberal approach to limitation was warranted, and the delay was liable to be condoned; the refusal to condone was therefore unsustainable.</description>
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      <title>2018 (3) TMI 1796 - Supreme Court</title>
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      <description>A matrimonial appeal filed with a 554-day delay was said to disclose sufficient cause for condonation under Section 5 of the Limitation Act, 1963. The explanation relied on prolonged illness, including heart disease and dengue fever, hospitalization, advanced age, and mental disturbance caused by family disputes. The medical records were not disputed as genuine, and the High Court accepted that the appellant had suffered the stated ailments. On that basis, a liberal approach to limitation was warranted, and the delay was liable to be condoned; the refusal to condone was therefore unsustainable.</description>
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