[2011] KEHC 3969 (KLR)

[2011] KEHC 3969 (KLR)

The court held that while the contract between the parties contained an arbitration clause and a choice of law provision in favour of South Africa, the issue of jurisdiction could not be determined solely as a preliminary objection because it required examination of the contracts and facts in dispute. The court...

Source-derived case information.

Citation
[2011] KEHC 3969 (KLR)
Parties
Plaintiff: Caneland Limited; Defendant: John Deere (Proprietary) Limited
Court
High Court
Court Station
High Court at Kisumu
Jurisdiction
Kenya
Case Number
Civil Case 149 of 2010
Procedural Posture
Civil Case / Ruling on Preliminary Objection
Outcome
preliminary objection declined; application to be heard on merits
Judges
A Ali-Aroni
Legal Topics
Arbitration Clauses, Jurisdiction of Courts, Contractual Breach, Choice of Law, Injunctive Relief
Source Language
en
Commercial and Corporate Civil Procedure Arbitration Clauses Jurisdiction of Courts Contractual Breach Choice of Law Injunctive Relief

Source-derived case record

Summary, issues, holding and outcome

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Parties

Caneland Limited

Plaintiff

John Deere (Proprietary) Limited

Defendant

Procedural Posture

Civil Case / Ruling on Preliminary Objection

  1. 1 Whether the High Court of Kenya has jurisdiction to hear a dispute where the contract contains an exclusive arbitration clause and choice of law in favour of South Africa.
  2. 2 Whether the issue of jurisdiction can be determined by way of a preliminary objection without examining facts and evidence.
  3. 3 Whether the arbitration clause in the dealer agreement ousts the jurisdiction of Kenyan courts entirely.

Ratio Decidendi

The court held that while the contract between the parties contained an arbitration clause and a choice of law provision in favour of South Africa, the issue of jurisdiction could not be determined solely as a preliminary objection because it required examination of the contracts and facts in dispute. The court found that the existence of an arbitration clause does not entirely oust the jurisdiction of Kenyan courts, which retain residual jurisdiction to address peripheral matters and ensure disputes are dealt with as agreed by the parties. The court also noted that the consent order of injunction was extended by agreement of the parties, and issues of service and nullity did not warrant...

Court Disposition

preliminary objection declined; application to be heard on merits

Orders

  • The preliminary objection is declined.
  • The application is to be heard on its merits.