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2003 (9) TMI 563 - HC - Companies Law

Issues:
Permission to proceed with a writ petition against a corporation in liquidation under section 446 of the Companies Act, 1956.

Analysis:
The judgment delivered by the High Court of Rajasthan pertained to an application filed under section 446 of the Companies Act, 1956, seeking permission to proceed with a writ petition against the Rajasthan State Agro Industries Corporation, which was ordered to be wound up by the Court. The applicant had filed a writ petition, stating that if allowed, consequential monetary benefits were to be provided by the corporation in liquidation. The Court noted that the winding-up order of the corporation was stayed, and the Official Liquidator had not been appointed as its liquidator. Despite prima facie opinion that no leave was required due to the stay on the winding-up order, the Court emphasized that permission was necessary as directed in the writ petition. The applicant's counsel referred to a similar matter where permission was granted to prosecute a writ petition against the same corporation. Consequently, the Court allowed the application, granting permission to the applicant to prosecute the writ petition in the concerned Court.

This judgment underscores the procedural aspect of seeking permission to proceed with legal actions against a corporation in liquidation under the Companies Act, 1956. It highlights the significance of complying with directives even in cases where the winding-up order is stayed, emphasizing the need for explicit permission from the Court as per the writ petition's instructions. The Court's decision to grant permission in this case sets a precedent based on the legal requirements and procedural formalities outlined in the Companies Act, ensuring adherence to due process and judicial directives. The reference to a similar case where permission was granted further strengthens the applicant's position, demonstrating consistency in the Court's approach to such matters. Overall, the judgment provides clarity on the necessity of obtaining permission to prosecute legal actions against corporations in liquidation, balancing legal requirements with specific case circumstances to uphold procedural integrity and fairness in legal proceedings.

 

 

 

 

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