Eureka Forbes Limited v. Allahabad Bank and Ors.
Recovery of Debts Due to Banks and Financial Institutions Act, 1993 – Sections 2(g) and 17
Case brief
What is this about?
Eureka Forbes Limited v. Allahabad Bank and Ors., Supreme Court of India, Civil Appeal No. 4029 of 2010, decided May 03, 2010 (B. Sudershan Reddy and Swatanter Kumar, JJ.; judgment authored by Swatanter Kumar, J.). RDDBFI Act 1993 — Sections 2(g), 17, 17(1), 19(8), 19(11): whether a bank's claim against a non-borrower third party who intermeddled with and auctioned goods hypothecated to the bank is a recoverable 'debt'; DRT jurisdiction upheld — 'debt' to receive wide liberal meaning ('any liability', 'any person', 'claimed as due', 'secured or unsecured', 'legally recoverable'); maxim nullus commodum capere potest de injuria sua propria applied; hypothecation — physical possession not a sine qua non for enforcing the bank's charge; dealing with hypothecated goods without the bank's written consent is a breach; adverse inference for withholding best evidence of sale; decree against the intermeddler limited to value of hypothecated stock — Rs. 9,63,975 with 6% per annum interest from 14.03.1988; public accountability, transparency, public trust and full faith and credit in the functioning of banks as State instrumentalities; Chairman of Allahabad Bank directed to act against erring officers. Precedents: Indian Oil Corporation v. NEPC India Ltd. (2006) 6 SCC 736; State of Gujarat v. Akhil Gujarat Pravasi V.S. Mahamandal (2004) 5 SCC 155; Raman Lal Bhailal Patel v. State of Gujarat (2008) 5 SCC 449; Greater Bombay Coop. Bank v. United Yarn Tex (2007) 6 SCC 236; Unique Butyle Tube Industries (2003) 2 SCC 455; United Bank of India v. Debt Recovery Tribunal (1999) 4 SCC 69; P.S.L. Ramanathan Chettiar AIR 1968 SC 1047; Union of India v. Raman Iron Foundry (1974) 2 SCC 231; State Bank of Bikaner & Jaipur v. Balabh Das (1999) 7 SCC 539; Ashok Kapil v. Sana Ullah 1996 (6) SCC 342 — all referred; Bank of India v. Vijay Ramniklal AIR 1997 Gujarat 75 — distinguished; State of Bihar v. Subhash Singh (1997) 4 SCC 430; Centre for PIL v. Union of India (2005) 8 SCC 202; State of A.P. v. Food Corporation of India (2004) 13 SCC 53 — relied on.