ARTICLE
11 January 2023

SC Holds That Section 7(5)(A) Of IBC Confers Discretionary Power On NCLT To Admit Application Of Financial Creditor Seeking Initiation Of CIRP Of Corporate Debtor

AP
AZB & Partners

Contributor

AZB & Partners is one of India's premier law firms with 500+ lawyers and offices across the country. The firm was founded in 2004 with a clear purpose to provide reliable, practical and full–service advice to clients, across all sectors. Having grown steadily since its inception, AZB & Partners now has offices across Mumbai, Delhi, Bangalore, Pune and Chennai. We are recognized by most international publications for our legal expertise.
The SC in the case of Vidarbha Industries Power Ltd. v. Axis Bank Ltd., held that the use of the word "may" in Section 7(5)(a) of the Insolvency and Bankruptcy Code (‘IBC')...
India Insolvency/Bankruptcy/Re-Structuring
To print this article, all you need is to be registered or login on Mondaq.com.

The SC in the case of Vidarbha Industries Power Ltd. v. Axis Bank Ltd.,1 held that the use of the word "may" in Section 7(5)(a) of the Insolvency and Bankruptcy Code ('IBC') is intended to confer discretionary power on the National Company Law Tribunal ('NCLT') to admit an application of a financial creditor seeking initiation of the Corporate Insolvency Resolution Process ('CIRP') of the corporate debtor. It held that in case of an application filed by financial creditor, the NCLT may examine expedience of initiation of CIRP, taking into account all relevant facts and circumstances, including the overall financial health and viability of the corporate debtor. The NCLT may in its discretion not admit the application of a financial creditor.

Footnote

1. Vidarbha Industries Power Ltd. v. Axis Bank Ltd., 2022 SCC OnLine SC 841.

Originally published 30 September, 2022

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

We operate a free-to-view policy, asking only that you register in order to read all of our content. Please login or register to view the rest of this article.

See More Popular Content From

Mondaq uses cookies on this website. By using our website you agree to our use of cookies as set out in our Privacy Policy.

Learn More