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2006 (12) TMI 573 - SC - Indian Laws

Issues Involved:
1. Legality of the advertisement inviting applications for a fresh contract to run a slaughterhouse.
2. High Court's direction to allow the respondent to run the slaughterhouse for ten years.
3. High Court's jurisdiction in fixing terms and conditions of the contract.
4. Compliance with Article 14 of the Constitution regarding transparency and fairness in public contracts.
5. Interim arrangements for running the slaughterhouse until final decisions are made.

Detailed Analysis:

1. Legality of the Advertisement:
The appellant, Nagar Nigam Meerut, issued an advertisement on 6.12.2004 inviting applications for a fresh contract to run a slaughterhouse. The advertisement's validity was challenged by the respondent. The Supreme Court found no illegality in the advertisement, stating that the terms of the invitation to tender are not open to judicial scrutiny unless they are wholly arbitrary, discriminatory, or actuated by malice. The Court emphasized that the Government must have the freedom of contract and some fair play in the joints is necessary for an administrative body functioning in an administrative sphere.

2. High Court's Direction:
The High Court directed that the respondent should be allowed to run the slaughterhouse for ten years on specific terms and conditions, including financial deposits and modernization commitments. The Supreme Court held that the High Court's directions were totally unwarranted and that such decisions should be made by the Municipal Corporation, not the Court. The Court stated that it is not within the High Court's functions to fix the terms and conditions of a contract or to thrust a contract upon a non-willing party.

3. High Court's Jurisdiction:
The Supreme Court clarified that while the High Court has wide jurisdiction under Article 226 of the Constitution, it should exercise this jurisdiction only when essential. The Court should not interfere in administrative actions unless they are contrary to legislative policy or arbitrary, attracting the wrath of Article 14 of the Constitution. The Court emphasized that the statutory functions of the Corporation must be carried out by the Corporation itself, not by the High Court.

4. Compliance with Article 14:
The Supreme Court reiterated that a State or its instrumentalities cannot distribute its largesse at its own sweet will and must ensure transparency in public contracts. Normally, this is achieved by holding public auctions or inviting tenders after wide publicity. The Court found that the High Court's direction to grant the contract to the respondent for ten years without a public auction violated Article 14. The Court stated that contracts should be granted through public auction/public tender to ensure transparency, maximize economy and efficiency, and eliminate irregularities and corrupt practices.

5. Interim Arrangements:
The Court directed the appellant Corporation to issue a fresh advertisement calling for bids within six weeks and to take a final decision within eight weeks thereafter. Until such time, the Corporation should decide how the slaughterhouse should be allowed to function by making suitable interim arrangements. The Court also directed the State of U.P. to reconsider the feasibility of granting a longer-term license for running the slaughterhouse, emphasizing the need for modernization to ensure public health and welfare.

Conclusion:
The Supreme Court set aside the High Court's judgment, emphasizing the need for transparency and fairness in public contracts. It directed the appellant Corporation to re-advertise the contract and make interim arrangements for running the slaughterhouse. The Court also urged the State to reconsider its policy on granting longer-term licenses for slaughterhouses to ensure public health and welfare.

 

 

 

 

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