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Supreme Court of India
Decided on: 03.04.2025

A. Arbitration and Conciliation Act, 1996 (26 of 1996), Section 34(3) – Objection u/s 34 of Arbitration Act -- Limitation of three calendar months as opposed to 90 days -- Statutory language of Section 34(3) clearly stipulates the limitation period as “three months”, as opposed to the condonable period as “thirty days” -- This difference in language unambiguously demonstrates the legislative intent that the limitation period is 3 calendar months as opposed to 90 days -- Argument that 3 months must be read as 90 days in the context of Section 34(3), rejected.

(Para 13, 14)

B. Arbitration and Conciliation Act, 1996 (26 of 1996), Section 34 -- Limitation Act, 1963 (36 of 1963), Section 4, 12  -- Objection u/s 34 of Arbitration Act – Limitation -- Exclusion of days -- Respondent received a signed copy of the award on 09.04.2022, this date must be excluded and the 3-month limitation period must be reckoned from 10.04.2022 -- This expires on 09.07.2022, which happened to be a second Saturday when the court was not working -- Hence, the benefit of Section 4 of the Limitation Act will inure to the benefit of the respondent -- Respondent’s application u/s 34, which was filed on 11.07.2022, i.e., the next working day of the court, must be considered as being filed within the limitation period.

(Para 13, 14)

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