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2024 (10) TMI 826 - AT - IBC


Issues Involved:

1. Revival of Corporate Insolvency Resolution Process (CIRP).
2. Alleged failure of the Interim Resolution Professional (IRP) to disclose claims.
3. Misleading of the Adjudicating Authority.
4. The legal implications of withdrawal of CIRP under Section 12A.
5. The rights of the Financial Creditor vis-`a-vis the Operational Creditor.

Issue-wise Detailed Analysis:

1. Revival of Corporate Insolvency Resolution Process (CIRP):

The appeal arose from the dismissal of an application seeking the revival of the CIRP against the Corporate Debtor. Initially, the CIRP was withdrawn following a settlement between the Operational Creditor and the Corporate Debtor. However, the Operational Creditor later sought revival on the grounds that the Corporate Debtor failed to abide by the settlement terms. The Adjudicating Authority allowed the revival, directing the Resolution Professional (RP) to continue the CIRP.

2. Alleged Failure of the Interim Resolution Professional (IRP) to Disclose Claims:

The Appellant, a Financial Creditor, alleged that the IRP failed to disclose its claim submitted before the deadline. The IRP admitted to erroneously informing the Adjudicating Authority that no claims were received, which led to the withdrawal of the CIRP. This concealment was pivotal in the Appellant's argument for the revival of the CIRP.

3. Misleading of the Adjudicating Authority:

The Appellant contended that the IRP's misrepresentation misled the Adjudicating Authority into allowing the withdrawal of the CIRP. The IRP admitted to an error in communication, which resulted in the Authority's belief that no claims were outstanding. The Appellant argued that this misrepresentation invalidated the withdrawal order.

4. Legal Implications of Withdrawal of CIRP under Section 12A:

The withdrawal of the CIRP was initially permitted under Section 12A, based on a settlement agreement. However, the Appellant argued that the withdrawal was obtained through misleading information, which should render it void. The Tribunal noted that once the CIRP is initiated, it becomes a proceeding in rem, requiring consideration of all creditors' claims.

5. Rights of the Financial Creditor vis-`a-vis the Operational Creditor:

The Appellant, as a Financial Creditor, argued that it was unjustly prejudiced by the settlement favoring the Operational Creditor, who received payment from the Corporate Debtor. The Appellant claimed that the settlement was made at the expense of its rights, as the CIRP is a collective process involving all creditors. The Tribunal recognized this prejudice and emphasized the need for equitable treatment of creditors.

Conclusion:

The Tribunal found merit in the Appellant's arguments, particularly concerning the IRP's failure to disclose the claim and the subsequent misleading of the Adjudicating Authority. It highlighted the collective nature of CIRP proceedings and the necessity for transparency and fairness in handling creditors' claims. Consequently, the Tribunal allowed the appeal, set aside the impugned order, and directed that the CIRP be revived, ensuring that the Financial Creditor's rights are duly considered.

 

 

 

 

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