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1985 (4) TMI 335 - SC - Indian Laws

Issues:
1. Validity of award given after the expiry of the prescribed period without court extension.
2. Whether participating in arbitration proceedings after the expiry of the prescribed period constitutes an extension of time by the court under Section 28 of the Arbitration Act.

Analysis:
1. The case involved a dispute where the respondent challenged an arbitration award given after the prescribed period. The respondent participated in the proceedings after the expiry of the statutory period but raised objections on various grounds, including delay in the award. The Senior Sub-Judge overruled the objections and upheld the award, leading to an appeal to the High Court.

2. The High Court, upon appeal, considered the importance of the issues and the conflicting judicial opinions. It allowed the objection regarding delay in the award, stating that participation in arbitration proceedings after the expiry of the prescribed period does not amount to an extension of time by the court under Section 28 of the Arbitration Act. The High Court emphasized that time can only be extended by the court through sound judicial discretion.

3. The Division Bench held that a party is not estopped from challenging an award due to delay, even if they participated in the proceedings after the prescribed period. The court clarified that dismissing objections regarding delay does not automatically extend the time under Section 28(1) of the Arbitration Act. The High Court set aside the Senior Sub-Judge's order and remanded the case for a fresh decision on condoning the delay in giving the award.

4. The State appealed to the Supreme Court, reiterating the points raised before the High Court. The Supreme Court analyzed relevant provisions of the Arbitration Act, particularly Section 28, which empowers the court to enlarge the time for making an award. The Court emphasized that the arbitrator cannot extend time without court approval, except with the consent of all parties.

5. The Supreme Court highlighted that the policy of law aims to prevent undue prolongation of arbitration proceedings. It affirmed that the court has the discretion to extend time judiciously, even after the award has been given or after the prescribed period has expired. The Court concluded that the High Court's decision to extend the time for giving the award was justified in the interest of justice.

6. The Supreme Court noted that the High Court did not address all issues raised by the respondent, which necessitated a remand for further consideration. The Court allowed the appeal in part, setting aside the decision to remand the case to the trial court for deciding on the extension of time. Instead, the case was sent back to the High Court for a comprehensive review of all issues raised by the respondent.

 

 

 

 

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