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Issues Involved:
1. Validity of the supplementary agreement dated June 20, 1942. 2. Claims for revision of rates for establishment and contingencies. 3. Claims for revision of mandi charges. 4. Damages for wrongful termination of the agreement. 5. Jurisdiction of arbitrators to adjudicate claims. 6. Judicial misconduct by the umpire. 7. Error apparent on the face of the award. Detailed Analysis: 1. Validity of the Supplementary Agreement Dated June 20, 1942: The primary issue was whether the supplementary agreement dated June 20, 1942, was binding. The umpire and subsequent arbitrators held that the agreement was valid and binding upon the Agents. The Supreme Court upheld this view, noting that the agreement was made with mutual consent, and the Agents were aware of the altered circumstances due to World War II at the time the modification was agreed upon. 2. Claims for Revision of Rates for Establishment and Contingencies: The Agents claimed additional amounts for establishment and contingencies, arguing that the existing rates were inadequate due to wartime conditions. The arbitrators awarded additional amounts, but the Supreme Court found this to be erroneous. The Court emphasized that the contract expressly stipulated the rates, and the arbitrators had no authority to award amounts beyond what was agreed upon. The award of additional expenses under this head was deemed erroneous on its face. 3. Claims for Revision of Mandi Charges: Similar to the establishment and contingencies claim, the Agents sought additional mandi charges. The Supreme Court reiterated that the contract's terms regarding mandi charges were binding and could not be altered by the arbitrators. The argument that wartime conditions justified a revision of rates was rejected, as the contract was modified during the war, and the Agents were aware of the circumstances. 4. Damages for Wrongful Termination of the Agreement: The Agents claimed damages for the alleged wrongful termination of the agreement in October 1946. The umpire ruled this claim outside the scope of the Reference, and the Supreme Court did not find any error in this determination. 5. Jurisdiction of Arbitrators to Adjudicate Claims: The Supreme Court examined whether the arbitrators had jurisdiction to adjudicate the claims for additional remuneration and charges. It was held that the reference was a general one and not a specific reference on any question of law. Therefore, the arbitrators' decision could be set aside if it was erroneous on the face of the award. The Court found that the arbitrators exceeded their jurisdiction by awarding amounts beyond the stipulated rates in the contract. 6. Judicial Misconduct by the Umpire: The Agents alleged judicial misconduct by the umpire, claiming they were not given adequate opportunity to present their case. Both the Subordinate Judge and the High Court found merit in this claim. However, the Supreme Court focused on the errors apparent on the face of the award rather than delving deeply into the misconduct allegations. 7. Error Apparent on the Face of the Award: The Supreme Court held that the award was vitiated by errors apparent on its face. The arbitrators ignored the express terms of the contract, which stipulated the rates for various charges. The Court emphasized that a contract's terms cannot be disregarded based on equity or changed circumstances unless mutually agreed upon by the parties. The award was set aside on this ground. Conclusion: The Supreme Court dismissed the appeal, agreeing with the High Court that the award was liable to be set aside due to errors apparent on its face. The arbitrators had no authority to award amounts beyond what was expressly stipulated in the contract, and the claims for additional charges were not justified. The appeal was dismissed with costs.
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