Home Case Index All Cases Indian Laws Indian Laws + SC Indian Laws - 1998 (12) TMI SC This
Issues Involved:
1. Qualification Criteria for Bidders 2. Relaxation of Qualification Criteria 3. Judicial Review of Contract Award 4. Public Interest in Contract Award Summary: 1. Qualification Criteria for Bidders: The Maharashtra State Electricity Board (MSEB) floated a tender for the design, engineering, manufacture, supply, erection, and commissioning of large diameter pipes and steel tanks for Khaperkheda Thermal Power Station. The qualifying requirements included designing, fabricating, manufacturing, supplying, erecting, and successfully commissioning large diameter piping systems with M.S. pipes of not less than 2000 mm diameter and laid/buried for a minimum total length of 3 kms in a thermal power station, with successful operation for the past two years. Additionally, the bidder should have a minimum turnover of Rs. 7.5 crores per annum for the last three consecutive years. 2. Relaxation of Qualification Criteria: Clause 1.4 of the qualifying criteria allowed the owner to assess the bidders' capability and capacity to perform, should circumstances warrant such an assessment. MSEB received tenders from eleven bidders, including M/s. IVR Construction Ltd. and M/s. Raunaq International Ltd. The Technical Director recommended M/s. IVR Construction Ltd. despite their shortfall in requisite experience by one year. However, the Board of Directors decided to accept the offer of M/s. Raunaq International Ltd. due to the price advantage and adequate experience, despite not meeting the qualifying requirement of laying pipelines for a distance of 3 kms. 3. Judicial Review of Contract Award: M/s. IVR Construction Ltd. challenged the decision in a writ petition, leading to an interim order by the High Court staying the operation of the Letter of Intent issued to M/s. Raunaq International Ltd. The Supreme Court emphasized that the award of a contract is a commercial transaction, and considerations such as price, specifications, ability to deliver, past experience, and time for delivery are paramount. The Court noted that judicial review should be limited to preventing arbitrariness, favouritism, or use of power for collateral purposes, and should not substitute its decision for that of an expert evaluation committee. 4. Public Interest in Contract Award: The Court highlighted that public interest elements include the expenditure of public money, timely fulfillment of contracts, and quality of work. It stressed that court intervention should be based on substantial public interest or allegations of mala fides. The Court found no mala fides or collateral motives in awarding the contract to M/s. Raunaq International Ltd. and noted that both bidders did not fully meet the qualifying criteria. The decision to accept the lower offer of M/s. Raunaq International Ltd. was deemed legitimate, and the High Court's interim order was seen as erroneous, causing public detriment by delaying the power project. Conclusion: The Supreme Court allowed the appeal, setting aside the High Court's interim order, and directed M/s. IVR Construction Ltd. to pay the costs of the appeals. The Court underscored the importance of considering public interest and the consequences of judicial intervention in commercial transactions involving public contracts.
|