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1977 (4) TMI 125 - HC - Companies Law

Issues Involved:
1. Continuation of proceedings under sections 542 and 543 of the Companies Act, 1956, against the legal representatives of a deceased director.
2. The nature of the liability and directions that may be issued to the legal representatives.

Issue-wise Detailed Analysis:

1. Continuation of Proceedings Under Sections 542 and 543 Against Legal Representatives:

The primary question addressed in the judgment is whether proceedings initiated against a director under sections 542 and 543 of the Companies Act, 1956, can continue after the director's death and, if so, the nature of the directions that may be issued to his legal representatives.

Section 542 Analysis:
Section 542(1) provides for the declaration of personal responsibility for the debts and other liabilities of the company of persons who knowingly participated in fraudulent business activities. The court may declare that such persons are personally responsible without any limitation of liability. The expression "personal responsibility" here is used to distinguish it from the liability of the company and is not to be confused with liability arising from purely personal actions such as defamation or adultery. The court's power to make declarations and give directions under section 542(2) is broad and not restricted to the director personally. Therefore, the proceedings under section 542 can continue after the director's death, with the liability attaching to the director's estate and the legal representatives being given an opportunity to be heard.

Section 543 Analysis:
Section 543 provides for the assessment of loss or damage suffered by the company due to misfeasance or breach of trust by directors and officers and for making a compulsive order of repayment against the director. While the cause of action for assessing damages survives the director's death, the language of the provision is so specifically directed against the director that a compulsive order cannot be made against the legal representatives. Therefore, proceedings under section 543 can continue against the legal representatives for determining and declaring the loss or damage but not for recovery against them.

The Supreme Court's decision in Official Liquidator, Supreme Bank Ltd. v. P.A. Tendolkar was cited, which states that the power under section 543 does not extend to making compulsive orders against the heirs of delinquent directors. The Kerala High Court's decision in Aleykutiy Varkey v. Official Liquidator was also referenced, which held that execution could proceed against the legal representatives to the extent provided by section 50 of the Civil Procedure Code.

2. Nature of Liability and Directions to Legal Representatives:

The court concluded that while the loss or damage caused by the deceased director's actions could be determined and declared, no compulsive order for repayment could be made against the legal representatives. The proceedings under section 542 may continue to impose personal responsibility on the deceased director's estate, but any directions given to the legal representatives will be limited to the estate in their possession.

The judgment clarifies that the proceedings initiated under sections 542 and 543 of the Companies Act, 1956, may continue after the director's death to the extent of determining liability and declaring loss or damage but not for making compulsive recovery orders against the legal representatives. The case was remanded to the learned company judge for further proceedings consistent with this interpretation.

Separate Judgments:
Bhopinder Singh Dhillon, J. concurred with the judgment delivered by Chinnappa Reddy, J., without delivering a separate judgment.

 

 

 

 

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