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Home Case Index All Cases Insolvency and Bankruptcy Insolvency and Bankruptcy + Tri Insolvency and Bankruptcy - 2022 (5) TMI Tri This

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2022 (5) TMI 488 - Tri - Insolvency and Bankruptcy


Issues:
1. Claim rejection by the Liquidator based on delay in submission.
2. Authority to condone delay in claim submission.
3. Priority of government dues over Operational Creditor's claim.

Issue 1: Claim rejection by the Liquidator based on delay in submission:
The case involves an appeal filed by the Assistant Commissioner of Central Taxes seeking the inclusion of their claims in the list of stakeholders for adjudication. The Liquidator rejected the claim due to a delay of 361 days in submission, citing limitations under Section 31 of the Insolvency and Bankruptcy Code. The Appellant argued that the delay was not intentional and referred to a Supreme Court decision extending the period of limitation. The Liquidator contended that only the Adjudicating Authority could condone such delays.

Issue 2: Authority to condone delay in claim submission:
The Liquidator argued that they lacked the authority to condone delays in claim submissions, as per the Supreme Court's decision. However, the Appellant relied on the same Supreme Court ruling to request the acceptance of their claim despite the delay. The Liquidator agreed to accept the claim if directed by the Adjudicating Authority, emphasizing the priority of government dues over other stakeholders.

Issue 3: Priority of government dues over Operational Creditor's claim:
The Liquidator highlighted that no assets were sold when the appeal was filed, but later assets were sold via e-auction. The total claim admitted was specified, and the Liquidator emphasized the priority of government dues over Operational Creditor claims as per the Insolvency and Bankruptcy Code. The Tribunal, considering the Appellant's status as a governmental authority and the Supreme Court's decision, directed the Liquidator to accept the Appellant's claim and make a decision in accordance with the rules and regulations.

This judgment emphasizes the importance of adhering to timelines in claim submissions, the authority to condone delays, and the priority of government dues in insolvency proceedings. The decision provides clarity on the acceptance of governmental claims and their impact on the hierarchy of creditor payments.

 

 

 

 

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