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2023 (10) TMI 358 - HC - SEBI


Issues involved:
The issues involved in this case include the admissibility of a compilation of documents by respondent no. 2 during the final hearing, the timing and fairness of such a request, and the potential prejudice it may cause to the petitioners.

Admissibility of Compilation of Documents:
During the final hearing, respondent no. 2, Bharat Nidhi Ltd., made an oral request to place a compilation of documents on record, which was strongly objected to by the petitioners. The objection was based on the contention that such documents were not part of the record and presenting them at that stage would prejudice the petitioners. Respondent no. 2 argued that they had the right to submit the compilation based on earlier averments in an affidavit. The court, after hearing both parties, ruled that the request to introduce new documents at that stage was not permissible. The court emphasized the importance of adhering to the basic rules of pleadings and fairness in the adjudication process.

Timing and Fairness of Request:
The court noted that respondent no. 2 had multiple opportunities to submit additional documents earlier in the proceedings but chose not to do so. The petitioners had already presented their arguments substantially, and allowing new documents at that stage would disrupt the fairness of the process. The court highlighted that the rules of pleading required parties to present their case based on existing records to ensure transparency and equal opportunity for all parties involved.

Prejudice to Petitioners:
The petitioners argued that allowing the compilation of documents at that late stage would cause serious prejudice to their case. They pointed out that they had previously requested specific documents from respondent no. 2, which were not provided, leading to concerns about suppression of evidence. The court considered these arguments and concluded that permitting new documents without proper pleading and notification to all parties would indeed harm the petitioners' position. Respondent no. 2's argument about confidentiality requirements was dismissed as lacking prior basis in the case.

 

 

 

 

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