Owners and parties interested in vessel Mv Sanghi III v. D.v.Pratapa Varma
ADMIRALTY JURISDICTION – VESSEL – DEFINITION – INLAND VESSEL REGISTRATION
Case brief
What is this about?
Madras High Court Commercial Division admiralty ruling on maintainability of ship arrest and plaint rejection: definition of 'vessel' under Section 2(1)(l) Admiralty (Jurisdiction and Settlement of Maritime Claims) Act, 2017 includes broken, sunk, stranded or abandoned vessels and remains; vessel under repair to restore seaworthiness is arrestable; effect of registration under Inland Vessels Act 1917 and its replacement by Inland Vessels Act 2021 (Section 3(q)); scope of Proviso to Section 1(2) Admiralty Act vis-a-vis Section 2(1)(a), Sections 19A and 19F Inland Vessels Act and Merchant Shipping Act 1958 registration; inland vessel exception limited to definitional exclusion; whether vessel ordinarily plied inland waters is a triable issue; Order VII Rule 11 CPC rejection of plaint requires only cause of action, not concluded contract; ship repair claim of Rs.60 lakhs (Rs.42 lakhs invoice + Rs.18 lakhs balance after Rs.20 lakhs adjustment to M/s.Aditya Marines) under work order dated 25.10.2024; arrest of M.V.Sanghi III / M.V.Santhi III (TBN M.V.Bhaskar I, IMO 9091076) at Yanam Jetty made absolute; no security furnished by defendant; reliance on MV Lima V (Bombay HC, 28.2.2023) and I-Marine Infratech 2020 SCC OnLine Cal 3254.