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Whether the appellant's claim can be classified as a Financial Debt or Operational Debt under the Insolvency and Bankruptcy Code, 2016.


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2024 (1) TMI 586 - NATIONAL COMPANY LAW APPELLATE TRIBUNAL , PRINCIPAL BENCH , NEW DELHI - LB

Key Issues:

Court's Analysis:

  1. Nature of Transaction: The court examined the nature of the transaction between the parties, focusing on the terms of their agreement. The agreement involved the supply of sugar, with specific clauses relating to penalties for non-delivery, payment of interest, and provision of security cheques by the Corporate Debtor.

  2. Classification of Debt: The court referred to the definitions of 'Financial Debt' and 'Operational Debt' under the Insolvency and Bankruptcy Code. The central issue was whether the transaction constituted a financial debt (involving disbursal against time value of money) or an operational debt (claims in respect of goods or services).

  3. Judicial Precedents: The court considered relevant Supreme Court judgments, including "Consolidated Construction Consortium Limited vs. Hitro Energy Solutions Private Limited" and "Pioneer Urban Land and Infrastructure Limited vs. Union of India", to determine the nature of the debt.

  4. Appellant's Claim: The court noted that the appellant filed a Section 9 application, indicating it considered itself an Operational Creditor. The Resolution Professional categorized the claim as operational debt, a stance supported by the Adjudicating Authority.

Decision:

  • The NCLAT upheld the decision of the Adjudicating Authority, ruling that the appellant's claim was an operational debt.
  • The appeal was dismissed, affirming that no error was made in treating the claim as an operational debt.

Conclusion:

The NCLAT determined that the transaction between Sainik Industries Private Limited and Indian Sugar Manufacturing Company Limited was related to the supply of goods and thus constituted an operational debt. The appeal challenging the classification of the debt as operational rather than financial was dismissed, underscoring the importance of the nature of transactions and agreements in categorizing debts under the Insolvency and Bankruptcy Code.

 


Full Text:

2024 (1) TMI 586 - NATIONAL COMPANY LAW APPELLATE TRIBUNAL , PRINCIPAL BENCH , NEW DELHI - LB

 



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