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2025 (3) TMI 839 - SC - Indian Laws


1. ISSUES PRESENTED and CONSIDERED

The core legal questions considered in this judgment include:

  • Whether the proceedings under Section 138 of the Negotiable Instruments Act, 1881 (NI Act) can be initiated against a director of a corporate debtor during the moratorium period imposed under Section 14 of the Insolvency and Bankruptcy Code, 2016 (IBC).
  • Whether the appellant, as a director of the corporate debtor, is protected from prosecution under Section 138 of the NI Act due to the moratorium and appointment of an interim resolution professional (IRP).

2. ISSUE-WISE DETAILED ANALYSIS

Relevant Legal Framework and Precedents

The legal framework revolves around Section 138 of the NI Act, which penalizes the dishonor of cheques, and Section 14 of the IBC, which imposes a moratorium on proceedings against the corporate debtor during insolvency resolution. The judgment also references the precedent set in P. Mohan Raj v. M/S Shah Brothers Ispat Pvt. Ltd., which held that the moratorium under Section 14 of the IBC does not extend to natural persons like directors of the corporate debtor.

Court's Interpretation and Reasoning

The Court differentiated the present case from P. Mohan Raj by emphasizing that the cause of action under Section 138 of the NI Act arose after the imposition of the moratorium. The Court noted that the High Court erred in applying P. Mohan Raj as the facts were distinguishable. In P. Mohan Raj, the cause of action arose before the moratorium, whereas, in this case, it arose after.

Key Evidence and Findings

The Court found that the cheques were dishonored before the moratorium, but the demand notice, which triggers the cause of action under Section 138 NI Act, was issued after the moratorium commenced. The appellant was not in charge of the corporate debtor's affairs due to the appointment of the IRP, which suspended the powers of the board of directors.

Application of Law to Facts

The Court applied the provisions of Section 14 and Section 17 of the IBC to conclude that the appellant could not be held liable under Section 138 of the NI Act, as he was not in a position to fulfill the demand due to the moratorium and the IRP's control over the corporate debtor's affairs.

Treatment of Competing Arguments

The appellant argued that the moratorium should protect him from prosecution under Section 138 of the NI Act. The respondent relied on P. Mohan Raj to argue that the moratorium does not extend to natural persons. The Court sided with the appellant, distinguishing the facts of the present case from those in P. Mohan Raj.

Conclusions

The Court concluded that the High Court should have exercised its power under Section 482 of the CrPC to quash the proceedings against the appellant, as the cause of action arose after the moratorium, and the appellant was not in charge of the corporate debtor's affairs.

3. SIGNIFICANT HOLDINGS

Core Principles Established

The judgment establishes that the moratorium under Section 14 of the IBC can protect directors of a corporate debtor from prosecution under Section 138 of the NI Act if the cause of action arises after the imposition of the moratorium and the directors are not in control of the corporate debtor's affairs due to the appointment of an IRP.

Final Determinations on Each Issue

The appeal was allowed, setting aside the High Court's order and quashing the proceedings under Section 138 of the NI Act against the appellant. The Court emphasized that the appellant's lack of control over the corporate debtor due to the IRP's appointment and the timing of the cause of action were critical factors in its decision.

 

 

 

 

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