Appeal to the Supreme Court of India, challenging a decision by the Appellate Tribunal for Electricity (APTEL). The core issue revolves around the Municipal Corporation of Delhi’s (MCD) authority to initiate a bidding process for a Waste-to-Energy (WTE) project and seek tariff approval from the Delhi Electricity Regulatory Commission (DERC). APTEL had ruled that the MCD lacked the jurisdiction to file such an application under Section 63 of the Electricity Act, 2003, as it was neither a distribution licensee nor a generating company. The Supreme Court’s judgment examines the interpretation of Section 63 in conjunction with other relevant sections of the Electricity Act and the Solid Waste Management Rules, 2016, ultimately affirming the DERC’s original approval of the WTE project’s tariff.
(A) Electricity Act, 2003 – Section 63, 86(1)(b), 174,175 – Solid Waste Management Rules, 2016 – Rule 15(v)(b) – National Tariff Policy 2016 – Rule 6.4(1)(ii) and (2) – Jurisdiction of Electricity Regulatory Commission – Determination of Tariff – Waste to Energy Projects – Role of Appellant Municipal Corporation Delhi (MCD) – Whether the MCD has the authority to make an application for adoption of tariff under Section 63 of the Electricity Act, and whether the Delhi Electricity Regulatory Commission(DER has jurisdiction to entertain and adjudicate upon the petition filed by the MCD. The crux of the appeal centered around the jurisdiction of the DERC to act on applications under Section 63 of the Act by local authorities such as the MCD.
The Supreme court determined that the DERC had authority under Section 86(1)(b) to regulate electricity purchase processes and hence could evaluate applications for tariff adoption, establishing that the provisions of the Act are supplementary to the existing frameworks under the SWM Rules and National Tariff Policy. The ruling emphasized the importance of allowing local authorities to fulfill their statutory obligations toward municipal waste disposal while balancing public interest considerations.
The court highlighted the Mandate of the Municipal Corporation of Delhi (MCD) under the Solid Waste Management Rules, 2016, which obligates it to facilitate the construction, operation, and maintenance of solid waste processing facilities. This obligation was assessed in the context of the Waste to Energy (WTE) project, clarifying that the MCD’s actions in issuing requests for proposals and overseeing the bidding process were in line with its statutory duties, thus justifying its role in seeking tariff adoption from the DERC under Section 63 of the Electricity Act, 2003.
(Para 56, 58)
(B) Electricity Act, 2003 – Section 63 – Jurisdiction of Electricity Regulatory Commission – Determination of Tariff – Inclusion of Local Authorities – The Supreme Court held that the interpretation of Section 63 of the Electricity Act, 2003 by the APTEL—restricting applications for tariff adoption solely to distribution licensees and generating companies—was overly restrictive. The Court determined that such an interpretation failed to recognize the broader legislative intent, which allows local authorities to invoke these provisions as part of their obligations under other statutory frameworks, thereby confirming that the Appropriate Commission has the authority to assess tariff applications arising from local government initiatives, including those related to WTE projects.
(Para 45)
Municipal Corporation of Delhi V. Gagan Narang
Supreme Court: 2025 INSC 2 : (Doj 02-01-2025)




