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Bombay High Court Affirms Arbitrator’s Jurisdiction in Share Valuation and Compensation Dispute: “The Arbitrator’s View Was Plausible and Free from Perversity or Patent Illegality”

Bombay High Court Affirms Arbitrator’s Jurisdiction in Share Valuation and Compensation Dispute: “The Arbitrator’s View Was Plausible and Free from Perversity or Patent Illegality”

Bombay High Court Affirms Arbitrator’s Jurisdiction in Share Valuation and Compensation Dispute: “The Arbitrator’s View Was Plausible and Free from Perversity or Patent Illegality”

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1. Court’s Decision:

The Bombay High Court upheld the arbitral award, dismissing the appeal under Section 37 of the Arbitration and Conciliation Act, 1996. The court concluded that the arbitrator’s findings on compensation for specific shares were reasonable and free from perversity or patent illegality. The arbitrator acted within the jurisdiction provided by the arbitration agreement and related terms of reference.


2. Facts:

The appellants challenged this award, alleging jurisdictional overreach and errors in valuation.


3. Issues:

  1. Whether the arbitrator exceeded the terms of the arbitration agreement and acted beyond jurisdiction in awarding compensation for the shares.
  2. Whether the compensation in lieu of specific performance was justified in light of the facts and the conduct of the parties.
  3. Whether the valuation of shares at ₹94.43 per share was arbitrary or unsupported by evidence.

4. Petitioner’s Arguments:


5. Respondent’s Arguments:


6. Analysis of the Law:


7. Precedent Analysis:

The court relied on the following cases:


8. Court’s Reasoning:

  1. Readiness and Willingness:
    • The arbitrator reasonably concluded that the respondents were ready and willing to fulfill their contractual obligations, considering their immediate responses to correspondence and the lack of evidence to the contrary.
    • The appellants disclosed the share price (₹20 per share) only 24 hours before the deadline, undermining their claim that the respondents failed to arrange funds.
  2. Compensation for 5,00,050 Shares:
    • Although no explicit agreement existed for these shares, the arbitrator inferred from the evidence that these shares were handed over as security.
    • The arbitrator acted within jurisdiction by awarding compensation instead of ordering the return of these shares.
  3. Valuation:
    • The valuation of ₹94.43 per share was based on a summary procedure agreed upon by the parties, and the arbitrator corrected arithmetical errors in the appellants’ valuation reports.
    • The court found no arbitrariness or patent illegality in the valuation process.
  4. Award for 1,79,770 Shares:
    • The interim consent award referred to these shares, and the arbitrator’s decision to award compensation for them was consistent with the evidence and agreements.
  5. Land Compensation:
    • The award of ₹1 crore was supported by the agreed valuation of land and the financial settlements made during the arbitration.

9. Conclusion:

The court concluded that:

The appeal was dismissed, and the arbitral award was upheld.


10. Implications:

Also Read – Delhi High Court Directs MCD to Expedite Decision on Petitioner’s Representation, Highlighting Delays Caused by Coordination with Resident Welfare Association and Police, and Stresses Need for Timely Action in Public Interest

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