This appeal addresses whether a defendant, whose written statement has not been taken on record, is legally entitled to cross-examine the plaintiff on a question challenging the foundation of a trademark infringement and damages suit. The Supreme Court held that when a plaintiff affirmatively claims trademark and copyright infringement, the defendant retains the right to cross-examine the plaintiff regarding the substantiation of their trademark use, regardless of whether a written statement is on record. Consequently, the Supreme Court reversed the High Court’s order that had expunged the question, allowing the trial to proceed with the recall of the plaintiff for recording the answer.
- Nature of the Dispute:
- The respondent (plaintiff) filed a suit seeking a permanent injunction against trademark and trade-dress infringement, a declaration of exclusive trademark rights under the Trade Marks Act, 1999, and damages.
- The appellant (defendant) sought to pose a cross-examination question regarding whether the plaintiff had documentation to show since when the brand name “BABA” had been used.
- High Court vs. Supreme Court Standpoint:
- The High Court had expunged the question from the record on the grounds that it was a purely factual question beyond permissible cross-examination because the defendant’s written statement was not on record.
- The Supreme Court disagreed with this restriction, ruling that since the plaintiff’s case is fundamentally built on the assertion of trademark infringement and unique trade-dress usage, the defendant is fully entitled to question the plaintiff on documents substantiating the duration of the brand’s use.
- Final Directions:
- The Supreme Court allowed the appeal and reversed the impugned order of the High Court.
- The trial is directed to proceed after recalling the plaintiff to record the answer to the disputed question.
- The Court explicitly clarified that it made no observations on the merits of the case, leaving both parties free to agitate their contentions during the trial.



