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2024 (1) TMI 1389 - HC - Companies Law


Issues Involved:

1. Jurisdiction of civil courts in light of the Competition Act, 2002, and the Payment and Settlement Systems Act, 2007.
2. Applicability of exclusive jurisdiction clauses in agreements.
3. Alleged violations of the Payment and Settlement Systems Act, 2007, and the Competition Act, 2002.
4. Interpretation and application of Section 61 and Section 62 of the Competition Act, 2002.
5. The role of the Reserve Bank of India as a regulator under the PSS Act, 2007.
6. The powers of the Competition Commission of India under the Act of 2002.
7. The enforceability of the Developer Distribution Agreement (DDA) and its clauses.

Detailed Analysis:

1. Jurisdiction of Civil Courts:

The primary issue was whether the jurisdiction of the civil court is ousted by the Competition Act, 2002, and the Payment and Settlement Systems Act, 2007. The court held that civil courts generally have jurisdiction unless expressly or impliedly barred by law. Section 61 of the Competition Act, 2002, expressly bars civil court jurisdiction over matters the Competition Commission of India (CCI) can determine. The court found that the issues raised by the plaintiffs, such as abuse of dominance and unfair conditions imposed by Google, fall within the purview of the CCI, thus barring civil court jurisdiction.

2. Exclusive Jurisdiction Clauses:

The defendants argued that the jurisdiction is restricted to the courts in California as per Clause 16.8 of the Developer Distribution Agreement (DDA). The court held that such clauses, which restrict jurisdiction to foreign courts, are unenforceable under Indian law, as they contravene Section 28 of the Indian Contract Act, 1872, which deals with agreements in restraint of legal proceedings.

3. Alleged Violations of the PSS Act, 2007, and the Act of 2002:

The plaintiffs alleged violations of the PSS Act, 2007, by Google, particularly concerning the settlement period and service fees. The court observed that the PSS Act, 2007, is a complete code and the Reserve Bank of India (RBI) is the designated expert authority to handle such violations. The court emphasized that the RBI has the power to regulate and enforce compliance with the PSS Act, 2007, and any disputes should be referred to it.

4. Interpretation of Sections 61 and 62 of the Competition Act, 2002:

Section 61 bars civil courts from entertaining suits on matters the CCI can address, while Section 62 states that the Act is in addition to other laws. The court clarified that Section 62 does not negate the bar on civil court jurisdiction established by Section 61. The provisions should be read together to ensure that matters within the CCI's jurisdiction are not simultaneously adjudicated by civil courts.

5. Role of RBI under the PSS Act, 2007:

The court highlighted the RBI's role as the regulator under the PSS Act, 2007. It is empowered to issue directions and resolve disputes between system participants and providers. The court noted that the RBI's decisions are given finality under the Act, and civil courts should not interfere in matters that fall within the RBI's regulatory domain.

6. Powers of the Competition Commission of India:

The CCI is tasked with addressing anti-competitive practices and abuse of dominance under the Act of 2002. The court noted that the CCI has the authority to modify agreements, impose penalties, and issue directions to prevent abuse of dominance. The plaintiffs' grievances regarding Google's practices could be adequately addressed by the CCI, which has already issued orders against Google.

7. Enforceability of the DDA and its Clauses:

The court examined the enforceability of the DDA, particularly the clauses related to jurisdiction and service fees. It found that the clauses imposing jurisdiction in California are unenforceable in India. The court also noted that the CCI had already addressed the fairness of Google's service fees and billing practices, and any further disputes should be resolved by the CCI.

Conclusion:

The court upheld the rejection of the plaints under Order VII Rule 11(d) of the Civil Procedure Code, 1908, affirming that the jurisdiction of civil courts is barred by the Competition Act, 2002, and the PSS Act, 2007. The plaintiffs were directed to seek remedies through the appropriate regulatory bodies, namely the CCI and the RBI, for their grievances. The court also extended the interim relief for three weeks to allow the appellants to explore further appellate remedies.

 

 

 

 

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