Tax Management India. Com
Law and Practice  :  Digital eBook
Research is most exciting & rewarding
  TMI - Tax Management India. Com
Follow us:
  Facebook   Twitter   Linkedin   Telegram

Home Case Index All Cases Customs Customs + HC Customs - 2012 (6) TMI HC This

  • Login
  • Cases Cited
  • Referred In
  • Summary

Forgot password       New User/ Regiser

⇒ Register to get Live Demo



 

2012 (6) TMI 76 - HC - Customs


Issues Involved:
1. Jurisdiction of the High Court of Delhi under Article 226 of the Constitution.
2. Interpretation and application of the cause of action under Article 226(2).
3. The principle of forum conveniens.
4. The impact of appellate and revisional authority's location on jurisdiction.

Detailed Analysis:

1. Jurisdiction of the High Court of Delhi under Article 226 of the Constitution:

The primary issue was whether the High Court of Delhi had jurisdiction to entertain the writ petition under Article 226 of the Constitution solely based on the location of the revisional authority in Delhi. The petitioner argued that since the revisional authority (the Joint Secretary to the Government of India) was located in Delhi, the Delhi High Court had territorial jurisdiction. The court examined the historical context and amendments to Article 226, particularly focusing on the introduction of Clause (2) which allows High Courts to exercise jurisdiction if the cause of action, wholly or in part, arises within their territory.

2. Interpretation and application of the cause of action under Article 226(2):

The court revisited previous judgments to clarify the interpretation of "cause of action" under Article 226(2). It referenced several Supreme Court decisions, including Kusum Ingots & Alloys Ltd. v. Union of India and Alchemist Ltd. v. State Bank of Sikkim, which emphasized that the cause of action must be a material, essential, or integral part of the facts constituting the basis for the claim. The court concluded that merely because an appellate or revisional authority is located in Delhi, it does not automatically confer jurisdiction unless a significant part of the cause of action arises within the territorial limits of the Delhi High Court.

3. The principle of forum conveniens:

The court highlighted the importance of the principle of forum conveniens, which considers the convenience of all parties involved in the litigation. It stated that the High Court should not exercise jurisdiction merely because a part of the cause of action arises within its territory. The court must also consider whether it is the most appropriate forum for the case, taking into account factors such as the location of parties, witnesses, and the subject matter of the dispute. The court criticized the Full Bench decision in New India Assurance Company Limited for not adequately considering the principle of forum conveniens.

4. The impact of appellate and revisional authority's location on jurisdiction:

The court examined whether the location of the appellate or revisional authority should be the determining factor for jurisdiction. It concluded that while the location of such authorities might constitute a part of the cause of action, it should not be the sole factor compelling the High Court to entertain the writ petition. The court emphasized that the doctrine of forum conveniens and the nature of the cause of action must be scrutinized on a case-by-case basis.

Conclusion:

The court partially overruled and clarified the Full Bench decision in New India Assurance Company Limited. It held that:
- The jurisdiction of the High Court cannot be based solely on the location of the appellate or revisional authority.
- The cause of action must be significant and integral to confer jurisdiction.
- The principle of forum conveniens must be considered to determine the most appropriate forum.
- The exercise of jurisdiction under Article 226 is discretionary and should not be limited to cases of mala fide intent.

The matters were directed to be listed before the appropriate Division Bench for further consideration.

 

 

 

 

Quick Updates:Latest Updates