Home Care Retail Marts Pvt. Ltd. v. Haresh N. Sanghavi

Citation: 2026 INSC 415


Introduction

The law on section 9 arbitration post award has been clarified by the Supreme Court, which held that section 9 arbitration post award relief can be sought even by an unsuccessful party, subject to certain conditions.

However, the Court emphasized that such relief must be granted with caution and only in appropriate cases.


Issue

The issue before the Court was:

Whether an unsuccessful party in arbitration can invoke Section 9 after the arbitral award, despite having no enforceable award in its favour.


Factual Background

The case arose from commercial disputes where arbitral awards were passed against certain parties.

After the award

  • The unsuccessful parties filed challenges under Section 34
  • They also filed applications under Section 9 seeking interim protection

Conflicting High Court Views

  • Bombay, Delhi, Madras, Karnataka High Courts → Denied remedy to unsuccessful parties
  • Telangana, Gujarat, Punjab & Haryana High Courts → Allowed such applications

Therefore, the Supreme Court had to settle the law.


Court’s Analysis

The Supreme Court examined the language, object, and scheme of the Arbitration Act.


1. Meaning of “A Party” Includes Everyone

The Court held that:

. Section 9 uses the term “a party”
. It includes all parties to the arbitration agreement

Importantly, the law does not distinguish between successful and unsuccessful parties.

Thus, courts cannot restrict the meaning based on the outcome of arbitration.


2. Courts Cannot Rewrite the Statute

The Court emphasized:

Where statutory language is clear, courts must follow it

Any attempt to limit Section 9 only to successful parties would amount to judicial amendment, which is not permissible.


3. Section 9 Applies Even After Award

The Court clarified that Section 9 allows interim relief at three stages:

  • Before arbitration
  • During arbitration
  • After the award but before enforcement

Therefore:

The right to seek protection continues until enforcement under Section 36


4. Section 9 Has a Different Purpose

The Court distinguished key provisions:

  • Section 34 → Challenge to award
  • Section 36 → Stay/enforcement
  • Section 9 → Protection of subject matter

Thus, these provisions operate in different fields.


5. Denial of Relief Would Leave Party Remediless

The Court held:

An unsuccessful party cannot protect its rights under Section 34 or Section 36

Therefore, denying Section 9 relief would leave such party without protection, especially if:

  • The award is later set aside
  • Assets are dissipated during proceedings

6. Earlier High Court Views Were Incorrect

The Court rejected decisions like Dirk India Pvt. Ltd. vs. Maharashtra State
Electricity Generation Co. Ltd., 2013

.

It held that:

Section 9 is not limited to protecting the “fruits of the award”
It also protects the subject matter and disputed amount


7. Practical Situations Justify Relief

The Court noted that interim relief may be necessary where:

  • The award is challenged on serious grounds like fraud
  • Assets may be transferred or wasted
  • Interim protection existed earlier and needs continuation

Thus, relief may be essential to prevent injustice.


8. Higher Threshold for Unsuccessful Parties

However, the Court imposed an important safeguard:

Relief to unsuccessful parties must not be granted routinely

Courts must ensure:

  • Strong prima facie case
  • Balance of convenience
  • Risk of irreparable harm

Therefore, a higher threshold applies


Decision

The Supreme Court held:

i. An unsuccessful party can invoke Section 9 post-award
ii. Contrary High Court judgments are incorrect

However, courts must exercise care, caution, and circumspection


Conclusion

This judgment settles the law that section 9 arbitration post award unsuccessful party is maintainable. At the same time, it ensures that such relief is granted only in deserving cases to prevent misuse.

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