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2015 (4) TMI 984 - HC - Indian Laws


Issues Involved:
1. Jurisdiction of the Civil Court under Section 34 of the SARFAESI Act.
2. Allegations of fraud by the Plaintiff.
3. Compliance with Rule 8 of the Security Interest (Enforcement) Rules, 2002.
4. Availability of alternative remedy under Section 17 of the SARFAESI Act.

Issue-wise Detailed Analysis:

1. Jurisdiction of the Civil Court under Section 34 of the SARFAESI Act:
The primary issue was whether the Civil Court had jurisdiction to entertain the suit filed by the Plaintiff seeking a permanent injunction against the re-auctioning of the property. The Defendant argued that the Civil Court's jurisdiction was barred under Section 34 of the SARFAESI Act, which states that no Civil Court shall have jurisdiction in respect of any matter which a Debts Recovery Tribunal (DRT) or Appellate Tribunal is empowered to determine. The Court concluded that the DRT is empowered to adjudicate on matters related to the enforcement of security interests and compliance with the SARFAESI Act and Rules, thus barring the Civil Court's jurisdiction in this case.

2. Allegations of Fraud by the Plaintiff:
The Plaintiff alleged that the Defendant committed fraud by not disclosing the Income Tax Department's attachment on the property during the auction. The Court referred to the Supreme Court's judgment in Mardia Chemicals Ltd. v. Union of India, which allows a limited exception for Civil Court jurisdiction in cases of fraud. However, the Court emphasized that mere allegations of fraud without detailed and complicated facts do not suffice to invoke Civil Court jurisdiction. The Court found that the Plaintiff's allegations did not meet the threshold for this exception.

3. Compliance with Rule 8 of the Security Interest (Enforcement) Rules, 2002:
The Plaintiff argued that the Defendant violated Rule 8(f) of the Security Interest (Enforcement) Rules, 2002, by not disclosing the Income Tax Department's attachment. The Court noted that any non-compliance with Rule 8 could be addressed by the DRT under Section 17 of the SARFAESI Act. The Court held that the DRT has the jurisdiction to determine whether the measures taken by the secured creditor were in accordance with the Act and Rules.

4. Availability of Alternative Remedy under Section 17 of the SARFAESI Act:
The Defendant contended that the Plaintiff had an alternative remedy under Section 17 of the SARFAESI Act, which allows any aggrieved person to file an application before the DRT. The Court agreed, noting that the DRT is equipped to handle disputes regarding the enforcement of security interests and compliance with the SARFAESI Act. The Court cited several Supreme Court judgments emphasizing the need to exhaust alternative remedies before approaching the Civil Court.

Conclusion:
The Court concluded that the Civil Court's jurisdiction was barred under Section 34 of the SARFAESI Act, as the Plaintiff's allegations did not meet the criteria for the limited exception of fraud. The Court found that the Plaintiff had an adequate and effective remedy under Section 17 of the SARFAESI Act to address any grievances related to the auction process. Consequently, the Court set aside the Trial Court's order and dismissed the suit, allowing the Plaintiff to seek relief before the DRT.

 

 

 

 

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