Close This website uses modern features that are not supported by your browser. Click here for more information.
Please upgrade to a modern browser to view this website properly. Google Chrome Mozilla Firefox Opera Safari
your legal news hub
Sub Menu
Search

Search

Filter
Filter
Filter
A A A

Court rules in favour of directors of insolvent company

Publish date: 15 August 2019
Issue Number: 673
Diary: Legalbrief Forensic
Category: Corporate

Directors of a company had not defrauded creditors when they took security for loans to the company as a liquidator had argued, the High Court in England has ruled. A report on the Out-Law.com site notes that the court said the directors of Burnden Holdings (UK) Limited had reasonably relied on the advice of professionals and had acted in the best interests of the company in entering into the transactions which the liquidator later challenged. The court also confirmed that the liability of directors for unlawful distributions was not strict but was fault-based. It considered the balance sheet insolvency test and reviewed in detail the statutory requirements in relation to distributions. The court has also followed the reasoning in the case Re MC Bacon that the granting of security is not a transaction at an undervalue. The judge said the test was fault-based rather than strict: if the directors knew of facts which constituted an unlawful dividend they would be liable whether or not they knew that the dividend was unlawful. However, if they were unaware of the facts that rendered the dividend unlawful but had taken reasonable steps to secure the preparation of accounts to establish that there were sufficient profits for that purpose they would not be liable if it later turned out there were insufficient profits. He said directors were entitled to reasonably rely on the advice and accounts prepared by the various professionals, particularly auditors.

Full report on the Out-Law.com site

We use cookies to give you a personalised experience that suits your online behaviour on our websites. Otherwise, you may click here to learn more, or learn how to block or disable cookies. Disabling cookies might cause you to experience difficulties on our website as some functionality relies on cookie information. You can change your mind at any time by visiting “Cookie Preferences”. Any personal data about you will be used as described in our Privacy Policy.