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2015 (8) TMI 434 - SC - Companies Law


Issues:
1. Jurisdiction of Official Liquidator to adjudicate and quantify claims of statutory corporations.
2. Confirmation of sale of assets subject to conditions imposed by the court.
3. Appeal against conditions imposed on confirmation of sale.

Issue 1: Jurisdiction of Official Liquidator
The Supreme Court considered whether the Official Liquidator had the power to adjudicate and quantify the claims of statutory corporations when the Company Judge had allowed these corporations to stand outside the liquidation proceeding. The Court noted that the Official Liquidator had taken over the company under the Companies Act and that the property of the company was seized by the respondent corporations under the State Financial Corporations Act. The Court highlighted that the corporations were required to deposit workmen's dues with the Official Liquidator for quantification. The Court analyzed previous judgments to establish that the Official Liquidator did not have jurisdiction to ascertain the claims of secured creditors who were permitted to stand outside the liquidation proceeding.

Issue 2: Confirmation of Sale of Assets
The Court discussed the conditions imposed by the court for the confirmation of the sale of assets, including the requirement for the corporations to prove their claims before the Official Liquidator and to deposit a portion of the sale proceeds with the Official Liquidator. The Court examined the role of the Official Liquidator in adjudicating the claims of workmen and ensuring proper distribution of proceeds. It was highlighted that the Division Bench had directed that the confirmation of sale would be subject to the Official Liquidator quantifying the amounts payable to the workmen.

Issue 3: Appeal Against Conditions
The respondent corporation appealed against the conditions imposed on the confirmation of the sale of assets. The Division Bench modified the conditions, stating that the corporation, as a secured creditor, did not need to establish its claim before the Official Liquidator. The Court upheld the Division Bench's decision, emphasizing that the amendments to the Companies Act in 1985 restricted the powers of secured creditors like the respondent corporations but only to protect the rights of workmen. The Court clarified that the impediment to the corporations' rights was limited and did not change their status as secured creditors.

In conclusion, the Supreme Court dismissed the appeal, finding no error in the Division Bench's decision regarding the jurisdiction of the Official Liquidator and the conditions for the confirmation of the sale of assets. The Court upheld that the amendments to the Companies Act aimed to protect the rights of workmen and did not diminish the status of secured creditors like the respondent corporations.

 

 

 

 

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