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2025 (2) TMI 853 - AT - IBC


The present application before the National Company Law Appellate Tribunal sought condonation of a 205-day delay in refiling a Company Appeal (AT) (Insolvency) No. 1700 of 2024. The Applicant contended that the delay was due to genuine reasons such as obtaining signatures, misplacement of the appeal file by the NCLAT Registry, and difficulties in rectifying defects. The Applicant argued that Rule 14 of the NCLAT Rules empowered the Tribunal to exempt parties from compliance and cited relevant case law emphasizing condonation of delay for sufficient cause. The Respondent challenged the Applicant's explanations, alleging lack of diligence and negligence. The Tribunal considered the arguments, analyzed the facts, and applied legal principles to determine whether the delay should be condoned.The Applicant explained the delay in their Rejoinder-Reply, detailing the steps taken to rectify defects and the challenges faced, including misplacement of the appeal file by the Registry. The Applicant asserted that they had diligently followed up with the Registry to address the defects, but faced repeated issues despite their efforts. Conversely, the Respondent disputed the Applicant's justifications, alleging lack of diligence and negligence on the Applicant's part, leading to the prolonged delay. The Respondent argued that condoning the delay would undermine the judicial process.The Tribunal analyzed the submissions and evidence presented by both parties. It referenced the legal framework and precedent, including the principle of condonation of delay for sufficient cause as established by the Supreme Court. The Tribunal scrutinized the defect sheets provided by the Applicant, noting repeated defects and lack of substantial progress in rectifying them. The Tribunal found that the Applicant's explanations lacked credibility and diligence, indicating a casual approach towards fulfilling legal obligations. The Tribunal also dismissed the Applicant's claim of the appeal file being misplaced by the Registry, citing lack of supporting evidence.In its conclusion, the Tribunal emphasized the importance of timeliness in insolvency resolution processes under the IBC. The Tribunal found that the Applicant failed to demonstrate sufficient cause for condonation of the 205-day delay in refiling the appeal. It noted that allowing such a prolonged delay without convincing reasons would disrupt the time-bound nature of insolvency proceedings. Therefore, the Tribunal rejected the application for condonation of delay and consequently dismissed the Memo of Appeal.In summary, the Tribunal carefully considered the arguments, evidence, and legal principles related to the condonation of delay in refiling the appeal. It found that the Applicant's justifications were insufficient to warrant condonation of the prolonged delay, emphasizing the need for diligence and timeliness in insolvency resolution processes.

 

 

 

 

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