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2024 (2) TMI 1404 - HC - Indian Laws


Issues Involved:
1. Unconditional stay of an Arbitral Award.
2. Allegation of the Arbitration Agreement being induced by fraud.
3. Compliance with orders from the Petroleum and Natural Gas Regulatory Board (PNGRB) and the Delhi High Court.
4. Prima facie case for fraud under the second proviso to section 36(3) of The Arbitration and Conciliation Act, 1996.
5. Requirement for securing the awarded amount.

Detailed Analysis:

Unconditional Stay of an Arbitral Award:
The petitioner/award-debtor sought an unconditional stay of an Arbitral Award dated 21.6.2022 under the second proviso to section 36(3) of The Arbitration and Conciliation Act, 1996. The respondent invoked arbitration following the petitioner's contract termination, seeking specific performance and damages. The Arbitral Tribunal found the termination wrongful and awarded Rs. 58,50,45,169/- to the respondent, who now claims Rs. 101,39,93,149/- as the outstanding amount.

Allegation of the Arbitration Agreement Being Induced by Fraud:
The petitioner argued that the Arbitration Agreement was induced by fraud, asserting that the Agreement was executed in violation of orders from the PNGRB and the Delhi High Court. The petitioner claimed that the respondent failed to disclose critical show-cause notices, thereby fraudulently inducing the petitioner into the GSPA.

Compliance with Orders from PNGRB and the Delhi High Court:
The respondent countered that there was no violation of PNGRB or Delhi High Court orders and no fraud. The orders were publicly available on the respondent's website and disclosed in their Balance Sheets, which were accessible to the petitioner. The court found that the orders did not restrain the respondent from supplying CBM gas or performing the Agreement. The petitioner was aware of these orders, as evidenced by the reliance on the respondent's Balance Sheets during arbitration.

Prima Facie Case for Fraud Under the Second Proviso to Section 36(3) of The Arbitration and Conciliation Act, 1996:
The court examined whether a prima facie case of fraud existed. Section 17 of The Contract Act, 1872 defines fraud and includes active concealment of facts. The court found no evidence of deliberate non-disclosure by the respondent. The orders were in the public domain and part of the respondent's financial disclosures. The petitioner's claim of fraud did not meet the threshold required for an unconditional stay of the award.

Requirement for Securing the Awarded Amount:
The court directed the petitioner to secure Rs. 70 crores, with 50% to be deposited as a Bank guarantee and the remaining 50% as cash to the Registrar, Original Side of the Court. The cash component is to be invested in an interest-bearing account with a nationalized bank. The petitioner must comply within five weeks from the judgment date, failing which the respondent may execute the award.

Conclusion:
The petitioner's argument of the Arbitration Agreement being induced by fraud was rejected. The court found no restraint on the respondent from performing the Agreement and noted that the petitioner was aware of the relevant orders. The petitioner's application for an unconditional stay of the award was dismissed, and the petitioner was directed to secure the awarded amount on specified terms.

Final Orders:
- GA 1 of 2022 in AP 883 of 2022 is dismissed.
- The petitioner must secure Rs. 70 crores within five weeks, half as a Bank guarantee and half as cash.
- The respondent may execute the award if the petitioner defaults on these directions by 3.4.2024.
- Parties may mention AP 883 of 2022 for listing.
- Urgent certified copies of the order to be supplied upon fulfillment of requisite formalities.

 

 

 

 

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