No power can be exercised by NCLT for initiation of CIRP under IBC, 2016 against a Corporate Debtor, the name of which has been struck off by RoC, the power of the Tribunal to restore the name of a struck off company under Section 252 of the Companies Act, 2013 is not a suo motu power – Mr. Satyabrata Mitra & Ors. Vs. Earth Towne Infrastructure Pvt. Ltd. – NCLT New Delhi Bench Court-IV

In case you've already logged in, click here to know why you're not able to access this content.

 

The criteria for determining the limitation period with respect to the debt and the criteria for determining the date of default with respect to the debt are two different questions of law and fact and cannot be tested on the same scale – DB Power Ltd. Vs. Kreate Energy (I) Pvt. Ltd. – NCLT New Delhi Bench Court-IV

In case you've already logged in, click here to know why you're not able to access this content.

 

Requirement of fresh Demand Notice u/s 8 of IBC in case of part payments made by Corporate Debtor, after issuing the first Demand Notice – Entertainment Network India Ltd. Vs. Praise Communications Pvt. Ltd. – NCLT New Delhi Bench Court-IV

In case you've already logged in, click here to know why you're not able to access this content.

 

Whether CIRP can be initiated solely on the basis of the amount of interest when the entire principal amount of debt has been paid by the Corporate Debtor during the pendency of CIRP application? – M/s. Rashtriya Polymers & Solvents Vs. M/s. Kanodia Technoplast Ltd. – NCLT New Delhi Bench Court-IV

In case you've already logged in, click here to know why you're not able to access this content.

 

NCLT admits CIRP against Container Corporation of India Ltd. on default in payment of arbitration award, where the Corporate Debtor filed the petition under Section 34 of the Arbitration and Conciliation Act, 1996 much after filing insolvency application – M/s. Roadwings International Pvt. Ltd. Vs. M/s. Container Corporation of India Ltd. – NCLT New Delhi Bench Court-IV

In case you've already logged in, click here to know why you're not able to access this content.