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IN THE HIGH COURT OF DELHI
Prathiba M. Singh, J.
Sunil Kumar Jain - Appellant
Versus
Union of India - Respondent
W.P.(C) 582 of 2021
Decided On : 15-01-2021




Disqualified directors of struck off companies may reactivate their DIN/DSC for other active companies if the disqualification occurred before 7th May 2018, aligning with the Companies Fresh Start Scheme 2020.

Headnote:(A) Companies Act, 2013 - Sections 164(2)(a) and 167(1)(a) - Disqualification of directors - A director disqualified due to non-filing of financial statements for three consecutive years is eligible for reactivation of their DIN/DSC if the disqualification occurred before 7th May 2018 - The Companies Fresh Start Scheme 2020 allows for fresh opportunities for disqualified directors seeking new appointments, provided a substantial period of disqualification has elapsed. (Paras 2, 4, 5)

(B) Reactivation of DIN/DSC - The court ruled that directors of struck off companies may have their DINs and DSCs reactivated for service in active companies in line with the Companies Fresh Start Scheme 2020. (Paras 4, 5)

Facts of the case:
The petitioner, a former director of Zed Com Limited, was disqualified as a director due to non-compliance leading to the company's strike-off. The petitioner sought to start a new business and reinstate his DIN/DSC.

Findings of Court:
The court ordered the reactivation of the petitioner's DIN and DSC within ten days, based on legal precedents.

Issues: The key issue was whether the petitioner could have his DIN/DSC reactivated following disqualification due to the status of his previous company.

Ratio Decidendi: The court held that disqualification prior to 7th May 2018 allows for reactivation of DIN/DSC for other companies, supporting the aim of facilitating business continuity in light of the CFSS-2020.

Result: Petition disposed of with directions for reactivation of DIN/DSC.

Table of Content
1. petitioner disqualified due to non-compliance. (Para 2)
2. court's analysis of similar cases. (Para 3)
3. din and dsc reactivation ordered for the petitioner. (Para 5)
4. petition disposed with directions. (Para 6 , 7)

JUDGMENT

Prathiba M. Singh, J. (Oral)--This hearing has been done by video conferencing.

2. The Petitioner was a director in Zed Com Limited, which has been struck off from the Register of Companies. Due to alleged non-compliance/default in Zed Com Limited under Section 164(2)(a) of the Companies Act, 2013 i.e., non-filing of financial statements or annual returns for any continuous period of three financial years, the said Petitioner was also disqualified as a director from 1st November, 2014 to 31st October, 2019 and his DIN and DSC were de-activated. The Petitioner now wishes to start a fresh business.

3. This Court has considered the legal position relating to activation of DIN/DSC numbers of directors of defaulting companies in Anjali Bhargava & Anr. v. UOI & Anr., (W.P.(C) 11264/2020, decided on 6th January, 2021). The relevant portion of the said order reads:

    "4. There are four categories of Directors that are approaching Courts seeking setting aside of disqualification and activation of DIN/DSC numbers.

    (a) Directors who have been disqualified prior to 7th May 2018, qua other companies in addition to the defaulting company:

    As per the proviso to Section 167 (1) (a) of the Companies Act, 2013, once a director is disqualified qua one company i.e., the defaulting company, the office of the said director would become vacant in all companies. The said proviso, has, however, come into effect only on 7th May, 2018. In Mukut Pathak (supra) it was held that this proviso cannot have retrospective effect and would only apply if the disqualification took place after 7th May 2018. Paragraph 98 of Mukut Pathak (supra) reads as under:

    "98. In view of the above, the petitioners would not demit their office on account of disqualifications incurred under Section 164 (2) of the Act by virtue of Section 167(1)(a) of the Act prior to the statutory amendments introduced with effect from 07.05.2018. However, if they suffer any of the disqualifications under Section 164(2) on or after 07.05.2018, the clear implication of the provisos to Section 164(2) and 167(1)(a) of the Act are that they would demit their office in all companies other than the defaulting company."

    Since there is no stay on the judgment in Mukut Pathak (supra), it continues to hold the field. Thus, in cases where directors have been disqualified prior to 7th May, 2018, the proviso to Section 167(1)(a) would not apply and the directors would continue to be directors in companies other than the defaulting company. The disqualification of such directors qua active companies would therefore be liable to be set aside and their DIN and DSC's reactivated.

    (b) Directors who have been disqualified post 7th May 2018, qua other `active' companies:

    As held in Mukut Pathak (supra), in all cases where the directors have been disqualified on or after 7th May, 2018, the proviso to Section 167 (1) (a) would apply and such directors would cease to be directors in all companies including the defaulting company. In March, 2020, in light of the COVID-19 pandemic, the Ministry of Corporate Affairs vide General Circular No. 12/2020 introduced CFSS-2020 to allow a fresh start for defaulting companies and directors of such companies. This Court, in Sandeep Agarwal (supra) has analyzed CFSS-2020 to conclude that the purpose of the scheme is to provide an opportunity for `active' companies i.e., companies whose names have not been struck off, who may have defaulted in filing of documents, to put their affairs in order.

    ......

    Applying the scheme to the facts of the case, this Court in Sandeep Agarwal (supra) directed reactivation of the DINs and DSCs of directors of two companies - one whose name had been struck off and one, which was still active. Thus, the DINs and

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