Development Rights are also fully covered by the definition of Property under Section 3(27) of the IBC – Nilesh Sharma RP – Today Homes and Infrastructure Pvt. Ltd. Vs. Mordhwaj Singh and Ors. – NCLAT New Delhi
Hon’ble NCLAT held that the definition under Section 3(27) of the Property is an inclusive definition which obviously includes the Development Rights which was obtained by the Developers from the Owners by Development Agreement dated 03.03.2007 were subsequently assigned to the Corporate Debtor by an Agreement dated 30.07.2010. The Developer was handed over the possession in pursuance of Consent Award dated 05.09 2009.