Summary and Analysis of BSES Rajdhani Power Ltd. & Anr. vs Union of India & Ors. (2025 INSC 937)
1. Heading of the Judgment
Regulatory Assets in Electricity Tariff Determination: Legality, Limits, and Liquidation Framework
Supreme Court clarifies the legal status, permissible limits, and mandatory liquidation timeline for "regulatory assets" created by Electricity Regulatory Commissions.
2. Relevant Laws & Legal Provisions
The judgment interprets and applies the following legal framework:
Electricity Act, 2003 (Sections 61, 62, 65, 86, 111, 121):
Section 61: Guiding principles for tariff determination (cost-reflective tariffs, consumer protection).
Section 65: Mandates advance payment of subsidies by State Governments.
Section 121: Empowers APTEL to issue directions to Regulatory Commissions.National Tariff Policies:
2006 Policy (Clause 8.2.2): Permits regulatory assets only in "exceptional circumstances" (natural calamities/force majeure); mandates 3-year liquidation.
2016 Policy (Clause 8.2.2): Extends liquidation period to 7 years.Electricity Rules, 2005 (Rule 23, inserted by 2024 Amendment):
Caps regulatory assets at 3% of Annual Revenue Requirement (ARR).
Mandates liquidation of new gaps in 3 years and existing gaps in 7 years (from 01.04.2024).DERC Regulations (2007, 2011, 2017): Incorporate National Tariff Policy guidelines.
Constitutional Principles: Electricity as a "public good" under Article 39(b) of the Constitution.
3. Basic Judgment Details
Case No.: Writ Petition (C) Nos. 104/2014, 105/2014, 1005/2021 & Civil Appeals 4010/2014, 4013/2014.
Parties:
Petitioners: BSES Rajdhani Power Ltd. (BRPL), BSES Yamuna Power Ltd. (BYPL), Tata Power Delhi Distribution Ltd. (TPDDL).
Respondents: Union of India, Delhi Electricity Regulatory Commission (DERC), Government of NCT Delhi, generating companies.Key Issue: Whether DERC’s creation and perpetuation of regulatory assets (totaling ₹27,200 crores by 2024) violated statutory mandates.
Outcome: The Supreme Court upheld regulatory assets as a valid temporary measure but declared DERC’s 17-year accumulation a "regulatory failure."
4. Explanation of the Judgment
I. Concept of "Regulatory Asset"
A regulatory asset is an accounting mechanism allowing electricity distribution companies (discoms) to defer recovery of revenue shortfalls. It arises when:
Tariffs set by Regulatory Commissions (like DERC) are lower than the actual cost of supply.
Immediate tariff hikes would cause "tariff shock" to consumers.It represents a future recovery right for discoms, but must be liquidated swiftly to avoid financial instability.
II. DERC’s Regulatory Failure
Excessive Accumulation: DERC created regulatory assets starting in 2004, leading to a cumulative gap of ₹27,200 crores by 2024.
Violation of Policies:
Created assets under "business as usual" conditions (not "exceptional circumstances").
Ignored 3-year liquidation mandate (2006 Policy) and 7-year limit (2016 Policy).Systemic Lapses:
Delayed tariff revisions and truing-up exercises.
Inadequate measures (e.g., 8% Deficit Recovery Surcharge insufficient to cover carrying costs).
III. Legal Principles Laid Down
The Court issued 10 core principles ("sutras"):
Cost-Reflective Tariffs: Tariffs must reflect actual supply costs (Section 61).
Strict Limits for Regulatory Assets:
Permissible only in natural calamities/force majeure.
Capped at 3% of ARR (Rule 23).Time-Bound Liquidation:
New gaps: 3 years.
Existing gaps: 7 years (from 01.04.2024).Accountability of Commissions: Regulatory Commissions must:
Conduct annual truing-up.
Submit liquidation roadmaps.
Audit discoms’ financial practices.APTEL’s Enhanced Role: Appellate Tribunal (APTEL) must use Section 121 to:
Issue directions to non-compliant Commissions.
Monitor liquidation of regulatory assets.
IV. Directions Issued
Liquidation Deadline: All existing regulatory assets must be liquidated by 31.03.2031 (7 years from 01.04.2024).
Roadmap Requirement: DERC and other State Commissions must submit liquidation plans within 3 months.
APTEL’s Mandate: APTEL to register a suo moto case to monitor compliance nationwide.
Consumer Protection: Future tariff hikes must balance discom viability and consumer affordability.
V. Broader Implications
Regulatory Commissions must avoid "regulatory capture" (undue political/private influence).
State Governments must pay subsidies in advance (Section 65) to prevent revenue gaps.
Discoms cannot use regulatory assets as a substitute for operational inefficiencies.
Citation
BSES Rajdhani Power Ltd. & Anr. vs Union of India & Ors., (2025) INSC 937 (Supreme Court of India).




























