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Legal Yojana

PETITION FOR WINDING-UP OF A COMPANY

Updated: Sep 24

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PETITION FOR WINDING-UP OF A COMPANY 


In the High Court at ………….. Original Jurisdiction 

Company Petition No. ..................... of 20…….. 



In the matter of 



The Companies Act 1956 



In the matter of: 



An Application under sections 433, 434 and 439 of the Companies Act 1956 



And 



In the matter of: 



………………………………………………….…… Ltd., a company registered under the Companies Act 1956 with its Registered Office at Coimbatore within the said jurisdiction 



And 



In the matter of: 



PP……………………… resi........................  within the said jurisdiction 



Petitioner 



To 



The Hon'ble Mr. Chief Justice and His Companion Justices of the said Hon'ble Court 



PP………………………………………….…..the petitioner above-named most respectfully 



SHEWETH: 



1. The address of ….petitioner for serving notices, processes etc. is that of its Advocate-on-Record M/s …………………………………….…….with its office at..................... ……………………………….. 



2. ….Co. Ltd. (hereinafter referred to as the said company) was created on ……………./…………..under the Companies Act 1956. 



3. The registered office of the company being at........................ within the said jurisdiction. 



4. The authorized, issued subscribed with paid-up capital of the company being Rs. .................. divided into .................. equity shares of Rs. ……….………… each. 



5. The main objects for creating /forming the company exist in the Memorandum of Association of the company and include primarily business for trading all commodities/articles. 



6. On or about .......................................... at per company request, petitioners vended and handing over goods of some quantity, at consented price-The company expecting goods and used the same. 



7. Petitioner presented bills which were accepted and never controverter by the company. 



8. The company paid Rs. ……………..due to part payment and promised in paying the balance of Rs…………………. by a month, which period has ended on ………………………. 



9. Despite demand, company has not paid Rs. ………………… or any portion thereto and deferred payment thereto with lame excuses per letter dated ..................... the company requested ………….. ……………' time more for paying balance Rs. …………... Copy of this letter is enclosed herewith. Despite said promise company has not paid balance amount . 



10. Petitioner through its Advocate on Record issued a notice dated…….. to the company asking payment of Rs. ……………. with interest at …..% annually from due date of payment till realisation. Such rate of interest exist in the agreement, which is shown from bills of petitioner copies whereof are annexed hereto. 



11. After expire more than …… weeks, company have neither replay to notice nor paid any amount to your petitioner. 



12. The petitioner is claiming Rs. ……………………. with interest amounting to Rs. ……………… totaling Rs. ………………………… 



13. The company has neglected by not paying and denying the said Rs. …………………… or any part thereof. 



14. The company can not pay to creditors, as its liability exceeds its likely and present assets. 



It is insolvent commercially. In the premises it is fit, just and equitable that the company should be and be wound up under the enactment of the Companies Act 1956. 



15. This application is made bona fide, in the interest of justice, and the balance of convenience lay in passing Orders prayed for herein. 



The petitioner hence humbly prays Your Lordships for the following Orders: 



(a) ………………………..…… Co. Ltd. be wound up under the enactments of the Companies Act 1956; 



(b) Official Liquidator be appointed as Liquidator of the company for taking possession of assets, properties, books and records of the company forthwith; 



(c) Further Orders be made and directions be given as to this Hon’ble Court may deem proper and fit. 



And 



Your petitioner as in duty bound shall ever pray. 



Date: 



Place: 



Sd/-………………………………………& Co.) 



Advocates for the petitioner 



                                                                                Affidavit 



I, ……………………………………….………………resi at...............................................................do hereby solemnly affirm and say as follows: 



1. That I, being creditors of the company. I know and I have made myself acquainted with the facts/circumstances of this case and I am deposing thereto. 



2. The statements mentioned per paragraphs 1 to 10 of petition herein now shown to me marked with letter "A" are true to my best knowledge and those mentioned in paragraphs 11 to 13 hereof are based on information derived from records in my possession, and believed by me to be true and correct and those mentioned in paragraphs 14 and 15 hereof are my humble submissions to this Hon’ble Court. 



3. The statements mentioned in foregoing paragraphs of this Affidavit are true to my knowledge. 



Solemnly affirmed by the said ……………………….. 



DATE: 



PLACE: 



Oath Commissioner 



Deponent

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