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Issues:
1. Deletion of appellant's name from the list of qualified contractors without notice or opportunity to be heard. 2. Violation of principles of natural justice in withholding tender form. 3. Appropriate relief for the appellant considering the stage of completion of the work order. Analysis: 1. The appellant, a painting contractor, was removed from the list of qualified contractors by a Public Sector Undertaking based on a Vigilance Report without prior notification or explanation. The appellant challenged this action in the High Court, which dismissed the appeal. The Supreme Court held that the deletion without following principles of natural justice was unjustified, as the appellant was entitled to be heard before such a decision was made. 2. The Supreme Court referred to previous judgments emphasizing the importance of natural justice in cases involving blacklisting or exclusion from business opportunities. The Court highlighted that reputation is a valuable asset and that any action with civil consequences, such as blacklisting, should only be taken after affording the affected party a fair opportunity to present their case. The Court concluded that the High Court erred in dismissing the writ petition due to the lack of procedural fairness in withholding the tender form from the appellant. 3. While acknowledging the difficulty in providing effective relief due to the advanced stage of the work order awarded to another contractor, the Supreme Court directed that the appellant's name should be maintained on the list of qualified contractors. Any future decision to delete the appellant's name must adhere to the principles of natural justice. Until then, the appellant should be allowed to participate in tender processes along with other qualified contractors. The Court disposed of the appeal without costs, recognizing the appellant's right to fair treatment in business opportunities.
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