
The Supreme Court reaffirmed that under Section 11(6A) of the Arbitration Act, a court’s role is prima facie confined to examining the existence of an arbitration agreement. All other contentious issues, including allegations of serious fraud and non-arbitrability, are jurisdictional matters that must be decided by the arbitral tribunal under Section 16.
Facts Of The Case:
The appellant, Bihar State Food and Civil Supplies Corporation, entered into agreements with various rice millers for the custom milling of paddy procured from farmers. The agreements contained an arbitration clause. When the millers allegedly failed to deliver the stipulated quantity of rice, the Corporation initiated recovery proceedings under the Bihar and Orissa Public Demands Recovery Act, 1914. The millers challenged these proceedings in the High Court, which directed them to pursue arbitration as per their agreement. Subsequently, a massive scam was uncovered, alleging a loss of over a thousand crores to the public exchequer. The Corporation filed approximately 1200 FIRs against the millers, and criminal proceedings for offences including cheating and criminal breach of trust were initiated. While these criminal cases were pending, the respondent millers filed applications under Section 11 of the Arbitration and Conciliation Act, 1996, seeking appointment of an arbitrator. The High Court allowed these applications, appointing arbitrators. The Corporation appealed to the Supreme Court, arguing that disputes involving such serious allegations of fraud and ongoing criminal proceedings were non-arbitrable.
Procedural History:
Court Observation:
The Court observed that the scope of inquiry for a court under Section 11(6A) of the Arbitration Act is strictly confined to a prima facie examination of the existence of an arbitration agreement. It emphasized that the Arbitration Act is a self-contained code and that the doctrine of kompetenz-kompetenz empowers the arbitral tribunal to rule on its own jurisdiction, including any objections regarding the validity of the arbitration agreement or claims of non-arbitrability. The Court clarified that contentious issues such as allegations of serious fraud, criminality, or limitation are not to be conclusively adjudicated at the referral stage but are matters for the arbitral tribunal to decide under Section 16. Consequently, the High Court’s order appointing an arbitrator was upheld, leaving all other issues open for the tribunal’s consideration.
Final Decision & Judgement:
Case Details:
Download The Judgement Here