RE LEUNG YAT TUNG

RE LEUNG YAT TUNG

The court held that the Official Receiver was not required to call a general meeting because calling one would serve no useful purpose and would risk wasting the limited assets of the estate; the court confirmed it may direct the trustee to disregard any resolution appointing a creditor associated with the bankrupt...

Source-derived case information.

Citation
RE LEUNG YAT TUNG
Parties
Applicant/trustee: Official Receiver and Trustee in Bankruptcy of the estate of Leung Yat Tung; Respondent/creditor: Windermere Pte Ltd; Former Bankrupt: Leung Yat Tung
Court
Court of First Instance
Jurisdiction
Hong Kong
Judgment Date
11 July 2008
Case Number
HCB2019/2000
Procedural Posture
Bankruptcy Proceedings (application for Directions Under Section 82(3) of the Bankruptcy Ordinance Cap.6) / Summons Heard and Decided on Application for Directions
Outcome
Order that the Official Receiver is not required to call a general meeting of creditors; creditors' committee to remain; court may direct trustee to disregard any resolution appointing a creditor associated with the bankrupt; costs awarded to Official Receiver.
Legal Topics
Court Directions Under Section 82(3), Creditors' Meetings, Creditors' Committee Composition, Voidable Transactions (section 49 Cap.6), Sham Transaction, Conflict of Interest
Source Language
en
Bankruptcy Insolvency Trusts Property Law Civil Procedure Court Directions Under Section 82(3) Creditors' Meetings Creditors' Committee Composition +3 more

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Parties

Official Receiver and Trustee in Bankruptcy of the estate of Leung Yat Tung

Applicant/trustee

Windermere Pte Ltd

Respondent/creditor

Leung Yat Tung

Former Bankrupt

Procedural Posture

Bankruptcy Proceedings (application for Directions Under Section 82(3) of the Bankruptcy Ordinance Cap.6) / Summons Heard and Decided on Application for Directions

  1. 1 Whether the trustee is required to call a general meeting of creditors under section 82(2) on request of a creditor
  2. 2 Whether the court may direct the trustee to disregard a resolution passed by a majority of creditors
  3. 3 Whether an additional creditor associated with the bankrupt should be appointed to the creditors' committee given conflicts of interest

Ratio Decidendi

The court held that the Official Receiver was not required to call a general meeting because calling one would serve no useful purpose and would risk wasting the limited assets of the estate; the court confirmed it may direct the trustee to disregard any resolution appointing a creditor associated with the bankrupt where conflict of interest and just cause exist; the existing creditors' committee may remain intact where independent members agree not to fill the vacancy.

Court Disposition

Order that the Official Receiver is not required to call a general meeting of creditors; creditors' committee to remain; court may direct trustee to disregard any resolution appointing a creditor associated with the bankrupt; costs awarded to Official Receiver.

Orders

  • Notwithstanding Windermere's requests dated 12 June 2008 and 10 July 2008, the Official Receiver is not required to call a general meeting of creditors.
  • The creditors' committee shall remain in place and the vacancy arising from termination of GE Capital's membership need not be filled.