Cause Of Action Arises From Clear Refusal To Perform Contractual Obligations, Not Mere Non-Performance: Calcutta High Court

In a notable ruling, the Calcutta High Court clarified a fundamental aspect of contract law — that the cause of action in a contractual dispute arises only when there is a clear and unequivocal refusal by a party to perform its obligations under the agreement. The Court distinguished mere non-performance or delay from an express denial or repudiation, which is legally necessary to trigger the right to initiate proceedings. This decision underscores the importance of identifying a definite breach before approaching the court and has implications on how limitation periods are computed in such cases.

Facts of the Case

  • The petitioner, Gautam Kundu, had entered into a contract with M/S Supertech Infrastructure for certain services or deliverables.
  • Despite delays or inaction by the respondent, no formal communication of refusal was made by them.
  • The petitioner initiated legal proceedings, arguing that the failure to perform was sufficient to constitute a cause of action.

Key Issue

Whether mere non-performance of contractual terms, without an express or implied refusal, gives rise to a cause of action for legal remedy?


Arguments

  • Petitioner’s Contention: The respondent’s inaction and delay should be treated as breach, and thus, the suit is within limitation.
  • Respondent’s Contention: Since there was no clear refusal or repudiation, the cause of action hadn’t legally arisen at the time the suit was filed.

Court’s Observations

  • The Court referred to settled principles of contract law, distinguishing between non-performance and repudiation/refusal.
  • It held that limitation or legal action cannot be triggered by mere lapse of time or delay in performance unless there’s a categorical act showing unwillingness or denial to perform the contract.
  • The Court emphasized that “cause of action arises only when the aggrieved party has knowledge of a definite breach or denial.”

Judgment

The Court ruled in favour of the respondent, holding that:

  • There was no clear refusal by the defendant to perform the contractual obligations.
  • Hence, the suit was premature, and the cause of action had not crystallized.

Legal Principle Established

cause of action in contractual disputes emerges only from an explicit refusal or repudiation of performance, not from delay or non-performance in isolation.

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