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Company Ordered to Pay, Faces Winding Up: Default on Court Directive The Supreme Court directed the respondent company to deposit a specified amount and pay the balance within a set period. Despite this directive, the ...
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Provisions expressly mentioned in the judgment/order text.
Company Ordered to Pay, Faces Winding Up: Default on Court Directive
The Supreme Court directed the respondent company to deposit a specified amount and pay the balance within a set period. Despite this directive, the company failed to comply, resulting in the petition being admitted for default. The court found the company's actions to be a misuse of the settlement process, leading to the order for the petition to be advertised for winding up proceedings. Due to the company's history of non-compliance, the court deemed the renewed settlement attempt as not genuine, extending the returnable date for further proceedings.
Issues: Admission of petition based on default in payment of installments, non-compliance with consent terms, revival of winding up proceedings.
Analysis: 1. The petitioner's counsel informed the court that if the matter was settled, the order of admission could be recalled after a further advertisement was issued. The parties were given time to obtain instructions and agree on revised terms. 2. The parties arrived at revised consent terms for payment in installments, as per the petitioner's counsel. However, the second installment due was not paid, leading to the petition standing admitted based on default. 3. The petition was initially admitted on a conditional order due to the respondent company's failure to deposit a specified amount. The appeal resulted in an increase in the amount to be deposited, which the company failed to comply with. 4. The Supreme Court directed the company to deposit a certain amount and pay the balance within a specified period. Despite this, the company failed to honor the commitments, leading to the petition being admitted. 5. The court noted that the company did not comply with the undertakings made before the Supreme Court and defaulted on the payment schedule outlined in the consent terms. The court found the company's actions as a misuse of the settlement process and ordered the petition to be advertised for winding up proceedings. 6. Given the company's history of non-compliance and default, the court deemed the renewed attempt at settlement as not bona fide. The court directed the petitioner to advertise the admission of the petition and extended the returnable date for further proceedings.
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