Ranjana Laxman Deore v. the Union of India Ministry of Road Transport and Highways (Surface), New Delhi and Ors.
Case brief
What is this about?
Bombay High Court, June 9, 2025 (Somasekhar Sundaresan, J.): in a bunch of 30 s.37 arbitration appeals against the District Court, Nashik's dismissal of s.34 challenges to s.3G(5) arbitral awards enhancing compensation for 2008 acquisition of Malegaon (Nashik) lands for four-laning NH-3, the Court holds that the statutorily payable solatium (s.23(2), Land Acquisition Act 1894 — conceded by NHAI following Tarsem Singh (2019) 9 SCC 304, which struck down s.3J of the National Highways Act for 1997–2015 acquisitions) cannot be inserted by the s.34 or the s.37 Court because solatium was outside the arbitral frame of reference; adding it would be impermissible modification of the award. Rishabhkumar 2021 SCC OnLine Bom 4561 followed; Gayatri Balasamy 2025 INSC 605 and Hakeem (2021) 9 SCC 1 relied on; Sarjuprasad 2022 (1) Mh.L.J 290 distinguished; Article 142 route flagged. Keywords: solatium; frame of reference; modification of arbitral award; s.34/s.37 Arbitration Act; s.3G(5)/s.3J National Highways Act; NHAI; NH-3 Malegaon Nashik.