Home Case Index All Cases Companies Law Companies Law + HC Companies Law - 1980 (2) TMI HC This
Issues:
1. Whether the winding-up petition should be admitted based on the debt due to the petitioning-creditor. 2. Whether the disputes raised by the company regarding the debt are bona fide. 3. Whether winding-up proceedings are the appropriate remedy in this case. Analysis: 1. The petitioning-creditor, a contractor, claimed a debt of Rs. 1,38,011.32 from the respondent-company for construction works. The company confirmed a sum of Rs. 60,614.77 due up to June 30, 1978. The petitioning-creditor submitted bills and received lump sum payments. The company failed to pay the remaining amount, leading to the winding-up petition. The court found the debt to be genuine and admitted the winding-up petition. 2. The company disputed the debt, alleging over-payment, inflated bills, and inclusion of fictitious items. The court acknowledged the disputes raised by the company regarding measurement, rates, and payments for subsequent works. While not deeming it an abuse of court process, the court refrained from ordering immediate payment due to the ongoing disputes. The court emphasized the need for commercial resolution and adjourned the matter to allow parties to settle the accounts. 3. The company argued that winding-up proceedings were not suitable for a building contract due to inherent disputes. Citing legal principles, the court acknowledged the nature of the contract but noted that the matter did not amount to an abuse of court process. Instead of ordering immediate payment, the court directed the company to furnish security and allowed the petitioning-creditor to file a suit by a specified date. Failure to provide security would result in advertisement of the winding-up petition, indicating a balanced approach to address the dispute without immediate winding-up.
|