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Monitoring and peer review are key tools adopted by the Insolvency and Bankruptcy Board of India and Insolvency Professional Agencies to ensure compliance, transparency, and professional conduct by Insolvency Professionals. Common issues observed in Monitoring & Peer Review of Insolvency Professionals are identified Based on IBBI inspection/peer review trends and practical experience, here’s a structured list:
Statutory Basis & Appointment : Section 5(27) IBC state that RP ( insolvency professional ) appointed to conduct CIRP (includes IRP).
IP must maintain robust documentation for every decision. IP Ensure timely filings with IBBI, IPA, and NCLT. IP must Adopt transparency in fees and expenses. IP should keep regular disclosures updated on the IBBI portal. IP Strengthen stakeholder communication with proper records. IP Invest in continuous learning (case laws, amendments, circulars). They must use digital tools for record keeping, claim verification, and reporting.
S.NO. | Stage | Compliance Requirement | Timeline / Frequency | Disclosure / Reporting |
1 | CIRP | Public Announcement | Within 3 days of IP appointment | To public & IBBI in Form A |
2 | CIRP | Submission of CIRP Form-1 | Within 7 days of commencement of CIRP | To IBBI |
3 | CIRP | Constitution of CoC | Within 30 days of commencement of CIRP | To NCLT & IBBI (CIRP Form-2) |
4 | CIRP | First CoC meeting | Within 7 days of CoC constitution | To CoC members |
5 | CIRP | Filing of progress report with NCLT | Every 30 days (till completion) | To NCLT |
6 | CIRP | Preparation of Information Memorandum | Within 54 days of commencement | To CoC, updated regularly |
7 | CIRP | Appointment of Registered Valuers | Within 7 days of appointment | To CoC, IBBI |
8 | CIRP | Filing of avoidance transaction applications | Immediately upon detection, before plan approval | To NCLT |
9 | CIRP | Submission of CIRP Form-6 (monthly) | By 10th of following month | To IBBI |
10 | CIRP | Final report / resolution plan to NCLT | Before 180/330 days as applicable | To NCLT & IBBI |
S.NO. | Stage | Compliance Requirement | Timeline / Frequency | Disclosure / Reporting |
1 | Liquidation | Public Announcement of Liquidation | Within 5 days of order of liquidation | To public, IBBI & ROC |
2 | Liquidation | Opening of liquidation bank account | Immediately after order | Maintain separate liquidation account |
3 | Liquidation | Submission of Preliminary Report | Within 75 days of commencement | To NCLT & IBBI |
4 | Liquidation | Asset Memorandum preparation | Within 75 days of commencement | To NCLT & IBBI |
5 | Liquidation | Valuation of assets by two valuers | Within 30 days of commencement | To NCLT & IBBI |
6 | Liquidation | Progress Reports (quarterly to NCLT/IBBI) | Every quarter | To NCLT & IBBI |
7 | Liquidation | Stakeholder consultation committee meetings | As per regulation (quarterly/half-yearly) | To Stakeholder Committee |
8 | Liquidation | Final Report on dissolution | At completion of liquidation | To NCLT & IBBI |
S.NO. | Stage | Compliance Requirement | Timeline / Frequency | Disclosure / Reporting |
1 | Voluntary Liquidation | Declaration of solvency by directors | Before passing resolution | By company directors to ROC & Liquidator |
2 | Voluntary Liquidation | Special Resolution by members | Within 4 weeks of declaration | To ROC & members |
3 | Voluntary Liquidation | Appointment of Liquidator & public announcement | Immediately on initiation | Public announcement by liquidator |
4 | Voluntary Liquidation | Final Report to NCLT/IBBI for dissolution | At completion of process | To NCLT & IBBI |
Section 15 IBC → Public announcement inviting claims within 3 days of RP/IRP appointment.
Section 18 IBC → Collect all claims submitted by creditors.
Section 25 IBC → Duty to collate claims and maintain updated records for CoC.
Aspect | Provision | Key Compliance / Timeline |
---|---|---|
Public Announcement | Reg. 6 | Within 3 days of appointment; invite claims in prescribed format. |
Forms for claims | Reg. 7–10 | Different forms for financial creditors (Form C), operational creditors (Form B), employees (Form D), workmen (Form E), statutory bodies (Form F). |
Submission of claims | Reg. 12 | Creditors to file claims within 14 days of public announcement. |
Verification of claims | Reg. 13 | RP/IRP to verify each claim within 7 days of receipt using documents, contracts, ledgers, etc. |
Collation of claims | Reg. 13(1)(b) | Prepare list of creditors (with admitted/rejected amounts, security interest, class of creditors). |
Updation of claims | Reg. 14(2) | Claims can be revised/updated even after initial filing. |
Action | Form/Regulation | Timeline |
---|---|---|
Consent to act as IRP/RP | Form AB | At proposal submission |
Public announcement | Form A, Reg. 6 | Within 3 days of appointment |
Filing consent of AR (if applicable) | Form AA | Before CoC constitution |
Filing CP-1 (IRP stage) | CP-1 | By 10th of next month |
Action | Form/Regulation | Timeline |
---|---|---|
Receive claims from creditors | Forms B–F | Within 14 days of announcement |
Verify & collate claims | Reg. 13 | Within 7 days of receipt |
Include unfiled statutory dues | Reg. 14 | As per financials |
Update claims list | Reg. 14(2) | Ongoing |
Action | Form/Regulation | Timeline |
---|---|---|
Constitute CoC | Reg. 17 | Within 7 days of claim deadline |
First CoC meeting | Sec. 22 | Within 7 days of CoC formation |
Confirm RP or replace IRP | Sec. 22 | In first CoC meeting |
File CP-2 (valuation, IM, RFRP) | CP-2 | By 10th of next month |
Action | Regulation | Key Inclusions |
---|---|---|
Prepare & share IM | Reg. 36 | Assets, liabilities, financials, litigations, guarantees, related party transactions, development rights (real estate), etc. |
Action | Form/Regulation | Timeline |
---|---|---|
Issue Form G (EoI) | Reg. 36A | Within 60 days of ICD |
Issue RFRP | Reg. 36B | Within 5 days of final PRAs list |
Vet resolution plans | Sec. 30(2), Reg. 39 | Before CoC vote |
Submit compliance certificate | Form H | With plan to NCLT |
File CP-3A (application to NCLT) | CP-3A | By 10th of next month |
File CP-3B (NCLT order) | CP-3B | Within 7 days of order |
Action | Regulation | Timeline |
---|---|---|
Identify & file applications | Sec. 43–51, Reg. 35A | During CIRP |
File CP-4 | CP-4 | By 10th of next month after filing/order |
Action | Form/Regulation | Timeline |
---|---|---|
Monthly CIRP update | CP-5 | By 10th of every month |
Constitute Monitoring Committee | Reg. 38(4) | Post-approval |
Submit quarterly reports | Reg. 38 | To NCLT |
Action | Form/Regulation | Timeline |
---|---|---|
Application for withdrawal | Form I | Before CoC approval |
File for liquidation | Sec. 33 | If no plan approved |
Requirement | Regulation/Case Law |
---|---|
Avoid conflict of interest | Reg. 3 |
Maintain confidentiality | Sec. 29(2) |
Comply with Code of Conduct | IBBI IP Regulations |
Treat as public servant | PC Act (Jharkhand HC ruling) |
Include statutory liabilities | Rainbow Papers case |
Avoid inclusion of third-party assets | Deepak Kulkarni & HDFC Bank rulings |
RP’s role is administrative, not adjudicatory – RP cannot decide legal disputes about claims but must verify documents with diligence. Courts (NCLT/NCLAT/SC) emphasize:
Transparency ensure fair opportunity to creditors.
Impartiality avoid bias while verifying/rejecting claims.
Timeliness non-adherence to claim timelines jeopardizes CIRP schedule.
Objective approach rely on authentic evidence; disputed claims may be referred to adjudicating authority.
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