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Home Case Index All Cases Insolvency and Bankruptcy Insolvency and Bankruptcy + AT Insolvency and Bankruptcy - 2022 (1) TMI AT This

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2022 (1) TMI 870 - AT - Insolvency and Bankruptcy


Issues Involved:
1. Whether the Appellant falls under the category of Operational Creditor or not?
2. Whether any difference is made in the Code with regard to statutory dues and other claims (Operational Creditors) pursuant to a contract? (any prior approval for extinguishing statutory dues is required)
3. Whether wisdom of the Committee of Creditors (CoC) can be interfered with?
4. Whether the CoC has complied with the rules and regulations of the Code?

Issue-wise Analysis:

1. Whether the Appellant falls under the category of Operational Creditor or not?
The Appellant, being the Government of India and holding statutory dues payable to the Central Government, is covered under 'Operational Debt' as defined in Section 5(21) of the Insolvency and Bankruptcy Code (I&B Code), 2016. Thus, the Appellant falls under the category of Operational Creditor, and its statutory dues fall under the category of Operational Debt. This classification aligns with the settled law, as all statutory dues, including income tax and value-added tax, are considered Operational Debt.

2. Whether any difference is made in the Code with regard to statutory dues and other claims (Operational Creditors) pursuant to a contract? (any prior approval for extinguishing statutory dues is required)
The Appellant contended that statutory dues stand on a different footing than claims arising from contracts. However, the Tribunal disagreed, reiterating that statutory dues are treated as Operational Debt under the I&B Code. There is no special treatment or separate category for statutory dues within the Code. The Tribunal referenced previous judgments, including Principal Director General of Income Tax v M/s. Synergies Dooray Automotive Ltd., which held that statutory dues have a direct nexus with the operation of the company and thus fall under Operational Debt.

3. Whether wisdom of the Committee of Creditors (CoC) can be interfered with?
The Tribunal emphasized that the commercial wisdom of the CoC is paramount and cannot be interfered with unless it violates the rules and regulations of the Code. The Supreme Court in Essar Steel clarified that the ultimate discretion of what and how much to pay each class or subclass of creditors lies with the CoC. The CoC must balance the interests of all stakeholders, including Operational Creditors, and maximize the value of the Corporate Debtor's assets. Judicial review by the Adjudicating Authority is limited to ensuring compliance with Section 30(2) of the Code.

4. Whether the CoC has complied with the rules and regulations of the Code?
The Tribunal found that the CoC complied with all rules and regulations. The Resolution Plan was approved by 100% of the CoC members in the 8th meeting held on 06.12.2019. The Adjudicating Authority approved the Plan under Section 31(1) of the Code, making it binding on all stakeholders, including the Central Government. The Appellant received ?1 Crore, constituting 36.30% of its claimed amount, which aligns with the Plan's provisions. The Tribunal noted that the Plan dealt with the interests of all stakeholders, including Financial and Operational Creditors, in compliance with Regulation 38(1A) of the CIRP Regulations.

Conclusion:
The Tribunal dismissed the appeal, finding no infirmity or irregularity in the Adjudicating Authority's order. The Resolution Plan was compliant with the I&B Code, and the Appellant's arguments regarding the non-extinguishment of statutory dues and the need for prior approval were found to lack merit. The appeal was deemed devoid of merits, and no costs were awarded.

 

 

 

 

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