CL-2024-000457, 000458, 000459 - [2025] EWHC 1803 (Comm)
Commercial Court

CL-2024-000457, 000458, 000459 - [2025] EWHC 1803 (Comm)

Fecha: 17-Jul-2025

For summary judgment purposes, the payment clause in Caterpillar was taken to have required payment on the twenty-fifth day of the fifth month after the month in which the invoice was dated, meaning t

B50.

For summary judgment purposes, the payment clause in Caterpillar was taken to have required payment on the twenty-fifth day of the fifth month after the month in which the invoice was dated, meaning that a valid invoice issued in (say) mid-June had to be paid on 25 November (per Longmore LJ at [7]-[8]). That extended the credit period under the seller’s standard payment clause that otherwise applied. It provided that, “Seller may invoice buyer on or at any time after delivery for any amounts still due … and buyer shall pay within thirty (30) days of the date of invoice”. The seller was thus only entitled to invoice for the price of goods that had been delivered, so that the obligation to pay the price was conditional upon prior performance of the obligation to deliver and any claim for the price would always be an obligation to pay for goods delivered but not sold, as just discussed. The seller did not argue that s.49(2) of the Act applied to that payment term (per Longmore LJ at [23]); nor had it relied on s.49(2) at first instance (see per Popplewell J, [2013] EWHC (Comm) at [37]).