The case of Nitendra Kumar Tomer v. Unox S.P.A. and another (2026 INSC 356) clarifies the legal standing of suspended directors in filing appeals under the Insolvency and Bankruptcy Code (IBC) and the strict nature of statutory limitation periods.
Factual Background
- Initial Order: On April 18, 2024, the NCLT admitted a Section 9 application filed by an operational creditor (Unox S.P.A.) against the corporate debtor, Ambro Asia Private Limited, and appointed an Interim Resolution Professional (IRP).
- The Flawed Appeal: On April 24, 2024, an appeal was filed before the NCLAT challenging this admission. However, the appeal was filed in the name of the corporate debtor itself and verified by Nitendra Kumar Tomer, claiming to be its authorized representative.
- NCLAT’s Intervention: The NCLAT noted that an appeal in the name of the corporate debtor was not maintainable after the appointment of an IRP. Nevertheless, in August 2025—well over a year later—it permitted Tomer to amend the appeal to prosecute it in his own name as a suspended director.
Supreme Court’s Legal Analysis
The Supreme Court set aside the NCLAT’s approach, characterizing the original appeal as “wholly incompetent” rather than merely procedurally defective.
- Vesting of Management (Section 17): The Court emphasized that from the date an IRP is appointed, the management of the corporate debtor’s affairs vests entirely in the IRP. Consequently, a suspended director has no legal authority to initiate an appeal in the name of the company.
- Incompetency vs. Curable Defects: The Court distinguished this case from precedents involving “curable” procedural errors (like a missing signature or a misdescribed party). Because the appeal was filed by a party who had no right to do so in that capacity, it was not maintainable in its very inception.
- Strict Limitation (Section 61): Under Section 61(2) of the Code, an appeal must be filed within 30 days, with a maximum discretionary extension of 15 days. The Court ruled that NCLAT “desecrated” this statutory prescription by allowing an incompetent appeal to be converted into a maintainable one long after the limitation period had expired.
- Mandate of the Code: The Court held that the NCLAT “erred grievously” by prioritizing “ends of justice” over the strict, sacrosanct mandates of time and procedure laid down in the IBC.
Conclusion
The Supreme Court dismissed the appeal, ruling that the NCLAT should never have entertained the matter on its merits because the original filing was legally void and could not be corrected after the expiry of the limitation period.
2026 INSC 356
Nitendra Kumar Tomer, Suspended Director, Ambro Asia Private Limited V. Unox S.P.A. And Another (D.O.J. 10.04.2026)




