August 2017

When an obligee indicates receipt of payment and notifies the obligor to pay after the obligee's receipt of such payment is delayed, if the obligor still fails to pay, the obligor shall still be liable for the payment delay (Taiwan)

Angela Wu

The Supreme Court rendered the 104-Tai-Shang-2384 Civil Decision of December 10, 2015 (hereinafter, the "Decision"), holding that when an obligee indicates receipt of payment and notifies the obligor to pay after the obligee's receipt of such payment is delayed, if the obligor still fails to pay, the obligor shall still be liable for the payment delay.

According to the facts underlying this Decision, the Appellant asserted as follows. Both parties entered into a co-construction agreement (hereinafter, the "Agreement at Issue"), under which the Appellee provided the funding and the Appellant provided lands to co-construct a total of eight store houses. The Appellee obtained four houses under the Agreement at Issue and the construction was supposed to be completed for delivery by March 30, 2007 or by February 4, 2008 at the latest. However, the Appellee still has not completed the construction and delivery (i.e., handover and acceptance inspection) even to this day, not to mention that the Appellant could refuse to accept the houses at issue, which were also defective since their earthquake (pressure) resistance strength did not meet the guaranteed quality set forth in the agreement. Since the Appellee should have paid damages on a monthly basis due to his delay payment liability, this lawsuit was filed to compel the Appellee to complete and deliver the houses at issue and pay damages caused by the delay payment.

According to the Decision, when the performance of an obligation requires collaboration from the obligee, if the obligor's performance is undermined for failure of the obligee to collaborate, although the obligee is liable for the delay in the receipt of payment, still his obligation is not extinguished accordingly. In addition, when the obligee indicates receipt of payment after the receipt is delayed or engages in the collaboration necessary for the receipt of the payment and notifies the obligor for payment, the obligor shall pay immediately or be liable for payment delay.

It was further held in the Decision that although the houses at issue were completed, still the Appellee refused to deliver the same to the Appellant. Therefore, whether the houses at issue exceeded the delivery deadline and whether such delivery failed for reasons attributable to the Appellee both require further investigation. The original trial court was rash in concluding that the Appellant could not claim damages for the payment delay simply on the ground the Appellant had refused to receive the houses at issue. Therefore, this Decision reversed and remanded the original decision.
1

本網站上所有資料內容(「內容」)均屬理慈國際科技法律事務所所有。本所保留所有權利,除非獲得本所事前許可外,均不得以任何形式或以任何方式重製、下載、散布、發行或移轉本網站上之內容。

所有內容僅供作參考且非為特定議題或具體個案之法律或專業建議。所有內容未必為最新法律及法規之發展,本所及其編輯群不保證內容之正確性,並明示聲明不須對任何人就信賴使用本網站上全部或部分之內容,而據此所為或經許可而為或略而未為之結果負擔任何及全部之責任。撰稿作者之觀點不代表本所之立場。如有任何建議或疑義,請與本所聯繫。

作者

Katty
Katty