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2024 (9) TMI 1552 - HC - FEMA


Issues:
Condonation of delay in filing an interlocutory application before the Debt Recovery Tribunal (DRT) under the SARFAESI Act, 2002.

Analysis:
The judgment revolves around the issue of condonation of delay in the context of an interlocutory application filed before the Debt Recovery Tribunal (DRT) under the SARFAESI Act, 2002. The Court highlighted the importance of distinguishing between the proceedings for establishing sufficient cause for delay and the actual entertainment of the appeal. Referring to previous judgments, the Court emphasized that the delay in filing should be condoned before the appeal can be entertained. The Court also discussed the requirement of depositing a certain percentage of the debt before the appeal can be entertained, as per the provisions of the SARFAESI Act.

The Court specifically referred to Section 18 of the SARFAESI Act, which mandates that an appeal to the Appellate Tribunal will not be entertained unless the borrower has deposited 50% of the debt due from him. The Court noted that the language used in this section is similar to that of Section 154 of the Maharashtra Co-operative Societies Act. The judgment reiterated that the main litigation stage, i.e., entertaining an appeal on its merits, can only proceed after the delay is condoned.

The Court analyzed the facts of the case where the Petitioner's delay application was rejected by the DRT purely on the issue of limitation. The Petitioner then approached the Appellate Tribunal (DRAT) seeking condonation of delay. The Court observed that the Petitioner mistakenly filed an application for waiver of pre-deposit, which was not required as the main issue was the condonation of delay. The Court emphasized that the proceedings for hearing the main appeal would only commence after the delay is condoned.

In conclusion, the Court allowed the Writ Petition, quashing the direction of the DRAT to deposit 50% of the amount due. The matter was remitted to the DRAT for further consideration. The Court clarified that in matters of condonation of delay, the stage of depositing the amount as a pre-condition for entertaining a substantive proceeding is not applicable. The Court directed both parties to appear before the DRAT for further proceedings, with the deposited amount being subject to the final result of the case. The Court also instructed the DRAT to review the impugned order of the DRT regarding the condonation of delay.

The judgment provides a comprehensive analysis of the legal principles governing the condonation of delay in filing interlocutory applications before the DRT under the SARFAESI Act, emphasizing the procedural requirements and the distinction between delay condonation and appeal entertainment.

 

 

 

 

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