Babcock Ntuthuko Engineering (Pty) Ltd v Eskom Holdings SOC Limited and Others (64288/2021) [2022] ZAGPPHC 865 (17 November 2022)

Babcock Ntuthuko Engineering (Pty) Ltd v Eskom Holdings SOC Limited and Others (64288/2021) [2022] ZAGPPHC 865 (17 November 2022)

The court found that the tender requirements regarding ISO 3834 were ambiguous, using 'certification' and 'certificate' inconsistently. Babcock had provided evidence of certification in its covering letter and subsequently submitted the certificates when requested. Eskom's interpretation that 'certification'...

Source-derived case information.

Citation
[2022] ZAGPPHC 865
Parties
Applicant: Babcock Ntuthuko Engineering (Pty) Ltd; Respondent: Eskom Holdings SOC Limited; Respondent: Actom (Pty) Ltd; Respondent: Steinmuller Africa (Pty) Ltd
Court
North Gauteng High Court, Pretoria
Jurisdiction
South Africa
Case Number
64288/2021
Procedural Posture
Review Application / Judgment After Hearing
Outcome
Application for review and setting aside of the tender award is granted. The contracts are declared unlawful and set aside, but the order is suspended pending a new tender process.
Judges
Millar
Legal Topics
Public Procurement, Tender Disqualification, Procedural Fairness, Promotion of Administrative Justice Act, Interpretation of Tender Documents
Administrative Law Civil Procedure Public Procurement Tender Disqualification Procedural Fairness Promotion of Administrative Justice Act Interpretation of Tender Documents

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Parties

Babcock Ntuthuko Engineering (Pty) Ltd

Applicant

Eskom Holdings SOC Limited

Respondent

Actom (Pty) Ltd

Respondent

Steinmuller Africa (Pty) Ltd

Respondent

Procedural Posture

Review Application / Judgment After Hearing

  1. 1 Whether the disqualification of the applicant for failing to submit an ISO 3834 certificate was lawful and rational.
  2. 2 Whether the splitting of the tender between multiple respondents was unlawful.
  3. 3 Whether the tender requirements were ambiguous and led to unfair disqualification.

Ratio Decidendi

The court found that the tender requirements regarding ISO 3834 were ambiguous, using 'certification' and 'certificate' inconsistently. Babcock had provided evidence of certification in its covering letter and subsequently submitted the certificates when requested. Eskom's interpretation that 'certification' required the submission of a certificate was not supported by the wording of the tender documents, which distinguished between the two terms elsewhere. The ambiguity was not clarified by Eskom, and tenderers were not given an opportunity to rectify the omission, resulting in procedurally unfair disqualification. The court held that the disqualification of Babcock was unlawful and...

Court Disposition

Application for review and setting aside of the tender award is granted. The contracts are declared unlawful and set aside, but the order is suspended pending a new tender process.

Orders

  • The decision of Eskom's Board to award tender CORP 4495 to Actom and Steinmuller is reviewed and set aside.
  • The contracts between Eskom and Actom/Steinmuller for the services are declared unlawful and set aside.