The Supreme Court라이브 바카라 ruling in this case systematically addressed the constitutional dysfunction that had unfolded. Invoking Article 142 to “do complete justice”, the apex court laid down the following binding procedural norms. First, a Governor must act either by granting assent, returning the bill, or reserving it for the President—within one month of receiving a bill. Indefinite inaction is incompatible with constitutional democracy. Second, if the assembly re-passes the bill in the original form after reconsideration, the Governor must grant assent within a further period of one month. After this stage, reservation for Presidential consideration is impermissible unless substantial new amendments are introduced in the bill originally returned by the Governor to the legislature. Third, if reserving a bill, the Governor must record specific constitutional grounds in writing, highlighting any conflict with the Union List or fundamental constitutional provisions, which shall be subject to judicial review if challenged. Fourth, the options under Article 200, mentioned above, are to be exercised sequentially and exclusively. The Governor cannot withhold assent after reservation or vice versa unless substantial new factors emerge. Fifth, once a bill is reserved, the President must decide within three months. The President may seek the Supreme Court라이브 바카라 non-binding advice under Article 143, but only in cases involving constitutional questions—not routine policy matters. Sixth, both the Governor라이브 바카라 and President라이브 바카라 actions and inactions must be supported by reasoned orders subject to judicial review and issuance of the court directive, if necessary. In the extant case, the court found the Governor라이브 바카라 conduct unconstitutional on several grounds: inordinate and unexplained delay; acting only after judicial notice; failure to specify reasons when returning the bills; and unlawful reservation of bills after re-passage. Perhaps the most novel aspect of the judgement is the application of the “deemed assent” doctrine. By holding that the bills were deemed to have been assented on the date of re-presentation, the court ensured that legislative sovereignty cannot be indefinitely subverted by procedural sabotage.