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2025 (3) TMI 1355 - AT - IBC


ISSUES PRESENTED and CONSIDERED

The primary issue considered was whether the Section 7 application filed by the Appellant-Financial Creditor was time-barred. This involved determining:

  • Whether the acknowledgment of debt in the Corporate Debtor's balance sheets extended the limitation period under Section 18 of the Limitation Act.
  • The correct interpretation and application of the suo moto orders by the Supreme Court concerning the extension of limitation periods due to the COVID-19 pandemic.
  • Whether the limitation period should commence from the date the balance sheet was signed or from the date it was uploaded to the MCA portal.

ISSUE-WISE DETAILED ANALYSIS

Relevant Legal Framework and Precedents

The legal framework involved Section 18 of the Limitation Act, which allows for the extension of the limitation period based on the acknowledgment of debt. The Tribunal also considered precedents such as the Supreme Court's judgments in Vidya Sagar Vs UCO Bank, L.C. Mills v. Aluminium Corporation of India Ltd., and Asset Reconstruction Company (India) Ltd. Vs Tulip Star Hotels Ltd. & Ors.

Court's Interpretation and Reasoning

The Tribunal examined whether the balance sheets of the Corporate Debtor constituted an acknowledgment of debt that would extend the limitation period. It also analyzed the application of the Supreme Court's suo moto orders regarding the COVID-19 pandemic's impact on limitation periods.

Key Evidence and Findings

The balance sheets for FY 2016-17 to FY 2019-20 were scrutinized to determine if they acknowledged the debt. The Tribunal noted that the balance sheet for FY 2019-20 was signed on 12.08.2020 and uploaded on the MCA portal on 14.02.2021. The Tribunal also considered the arguments regarding the applicability of the Supreme Court's suo moto orders.

Application of Law to Facts

The Tribunal applied Section 18 of the Limitation Act, concluding that the acknowledgment of debt in the balance sheets extended the limitation period. However, it determined that the limitation period should be calculated from the date of signing the balance sheet, not the date of uploading.

Treatment of Competing Arguments

The Appellant argued that the limitation period should be extended based on the acknowledgment in the balance sheets and the suo moto orders. The Respondent contended that the application was time-barred, arguing that the limitation period expired before the Section 7 application was filed. The Tribunal sided with the Respondent, finding that the application was time-barred.

Conclusions

The Tribunal concluded that the Section 7 application was time-barred, as the limitation period expired before the application was filed. The acknowledgment of debt in the balance sheets did not extend the limitation period sufficiently to bring the application within the permissible timeframe.

SIGNIFICANT HOLDINGS

Preserve Verbatim Quotes of Crucial Legal Reasoning

The Tribunal emphasized the importance of the date of signing the balance sheet as the trigger for the limitation period: "Basis the above precedent, we do not find any error on the part of the Adjudicating Authority to have relied on the date of signing of the Balance sheet for extension of limitation period."

Core Principles Established

  • The acknowledgment of debt in a balance sheet can extend the limitation period under Section 18 of the Limitation Act, but the period is calculated from the date of signing, not the date of uploading to the MCA portal.
  • The Supreme Court's suo moto orders provide specific extensions for limitation periods affected by the COVID-19 pandemic, but these must be applied according to the specific circumstances of each case.

Final Determinations on Each Issue

The Tribunal determined that the Section 7 application was time-barred, as the limitation period expired before the application was filed. The acknowledgment of debt in the balance sheets did not extend the limitation period sufficiently to bring the application within the permissible timeframe. The appeal was dismissed, and the impugned order was upheld.

 

 

 

 

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