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- APPLICATION FORM FOR ISSUE OF DIGITAL SIGNATURE CERTIFICATE
APPLICATION FORM FOR ISSUE OF DIGITAL SIGNATURE CERTIFICATE Download Word Document In English. (Rs.40/-) Download PDF Document In Hindi. (Rs.40/-) Form for Application for Issue of Digital Signature Certificate for Individual/Hindu Undivided Family applicant 1.Full Name* (Name of the Karla in case of Hindu Undivided Family) Last Name/Surname ............................................ First Name ............................................ Middle Name ............................................ 2. Have you ever been known by any other name? If yes, Last Name/Surname ............................................ First Name ............................................ Middle Name ............................................ 3.Address Residential Address* ............................................ Flat/Door/Block No. ............................................ Name of Premises/Building/Village ............................................ Road/Street/Lane/Post office ............................................ Area/Local/city/Taluka/Sub- Division ............................................ Town/City/District ......................................….. State/Union Territory ..................PIN …………… Telephone No. ........................................ Fax No. ........................................ Mobile Phone No. ......................................... Office Address* ......................................... Name of Office ........................................ Flat/Door/Block No. ......................................... Name of Premises/Building/Village ........................................... Road/Street/Lane/Post office ............................................ Area/Locality/Taluka/Sub- Division ............................................ Town/City/District ............................................ State/Union Territory ....................PIN…………… Telephone No. ............................................ FaxNo. ............................................ 4. Address for Communication Tick as applicable A or B 5. Father's name Last Name/Surname ............................................ First Name ............................................ Middle Name ............................................ 6. Sex* (For individual applicant only) Tick as applicable: Male/Female 7. Date of birth (dd/mm/yy) ............................................ 8. Nationality* ............................................ 9. In case of foreign national, visa details ............................................ 10. Credit Card Details Credit Card Type ............................................ Credit Card No. ............................................ Issued by ...................................……. 11. E-Mail Address ............................................ 12. Web URL Address ............................................ 13. Passport Details # Passport No. ............................................ Passport issuing authority .....................……………… Passport Expiry date (dd/mm/yyyy) ............................................ 14.Voter's Identity Card No. # ............................................ 15. Income-tax PAN No. # ............................................ 16. ISP Details ISP Name* ............................................ ISP's Website address, if any ............................................ Your user name at ISP if any ............................................ 17Personal Web Page URL address if any ............................................ For Company/Firm/Body of Individuals/Association of persons/Local Authority 18. Registration Number* ............................................ 19. Date of Incorporation/Agreement/Partnership* ............................................ 20. Particulars of Business, if any* Head Office ............................................ Name of Office ............................................ Flat/Door/Block No. ............................................ Name of Premises/Building/Village ............................................ Road/Street/Lane/Post office ............................................ Area/Locality/Taluka/Sub-Division ............................................ Town/City/District ............................................ State/Union Territory ........................PIN……….. Telephone No. ............................................ Fax No. ............................................ Web Page URL Address if any ............................................ No. of Branches .…………………………..... Nature of Business ............................................ 21.Income-tax PAN No.* ............................................ 22. Turnover in the last financial year Rs. ............................................ 23.Names, Addresses, etc. of Partners/Members/Directors (For Information about more persons, please add separate sheets) in the format given in the next page)* Details of Partners/Members/Directors No of Partners/Members/Directors Full Name Last Name/Surname ............................................ First Name ............................................ Middle Name ............................................ Address …………………………….. Flat/Door/Block No. ............................................ Name of Premises/Building/Village ............................................ Road/Street/Lane/Post office ............................................ Area/Locality/Taluka/Sub-Division ............................................ Town/City/District ............................................ State/Union Territory ....................PIN………….. Telephone No. ............................................ Fax No. .....…………..………………. Mobile Phone No. ............................................ Nationality ............................................ In case of foreign national, Visa details ............................................ Passport Details # Passport No. ............................................ Passport issuing authority ............................................ Passport Expiry date (dd/mm/yyyy) ............................................ Voter's Identity Card No. # ............................................ Income-tax PAN No. # ............................................ E-Mail address ............................................ Personal Web Page URL, if any ............................................ For Government Organisations/Agencies 24. Particulars of Organisation/Agency* Name of Organisation ............................................ Administrative Ministry/Department ............................................ Under State/Central Government ............................................ Flat/Door/Block No. ............................................ Name of Premises/Building/Village ............................................ Road/Street/Lane/Post office ............................................ Area/Locality/Taluka/Sub-Division ............................................ Town/City/District ............................................ State/Union Territory .................PIN ……………. Telephone No. ............................................ Fax No. ............................................ Flat/Door/Block No. ...............………………….. Name of Premises/Building/Village ............................................ Road/Street/Lane/Post office ............................................ Area/Locality/Taluka/Sub-Division ............................................ Town/City/District ............................................ State/Union Territory .....................PIN…………. Telephone No. ............................................ Fax No. ............................................ Web Page URL Address ............................................ Name of the Head of Organisation ............................................ Designation ........................................... E-Mail Address ........................................... 25. Bank Details Bank Name* ........……………………….. Branch* ............................................ Bank Account No.* ........................................... Type of Bank Account* ............................................ 26. Type of Digital Signature Certificate required* 27.Any other detail ............................................ Date Signature of the Applicant ………………………………………………………………………………………………. Instructions 1. Columns marked with* are mandatory as applicable. 2. For the columns marked with #, details for at least one is mandatory. 3.Column Nos. 1 to 17 are to be filled by individual applicants. 4.Column Nos. 18 to 23 are to be filled up, if applicant is a Company/Firm/Body of Individuals/Association of Persons/Local Authority. 5.Column No. 24 is to be filled up, if applicant is a Government Organization. 6.Column Nos. 25 and 26 are to be filled by all applicants.
- IN THE COURT OF SUB JUDGE
IN THE COURT OF SUB JUDGE : ………………………….. Suit No.:______ of 20……….. Download Word Document In English. (Rs.50/-) Download PDF Document In Marathi. (Rs.50/) ………………………………………………………………………………………………….Plaintiff Versus ……………………………………………………………………………………………………..Defendants (SUIT UNDER SECTION 91 OF THE CODE OF CIVIL PROCEDURE 1908 FOR ACTS WHICH ARE PUBLIC NUISANCE EFFECTING PUBLIC AND LIKELY TO EFFECT PUBLIC) SUIT FOR DECLARATIONS, PERMANENT AND MANDATORY INJUNCTION UNDER SECTION 91 OF THE CODE OF CIVIL PROCEDURE 1908 AND OTHER PROVISIONS The Plaintiffs Most Respectfully State And Submit As Under : 1. The present suit is being filed by the Plaintiffs seeking the reliefs of declarations, mandatory and permanent injunctions against the Defendants against the acts which are public nuisances effecting the general members of public and such acts which are likely to effect such members. The said suit is being filed against the defendants seeking the reliefs that they are refrained from indulging such acts and forthwith stop such unlawful and illegal acts which have and are likely to create public nuisance and other wrongful acts effecting the public more particularly the people living in the surrounding area. The present suit is being filed in the representative capacity by the Plaintiff for themselves and other members of general public seeking this Hon'ble Court's intervention and indulgence so as to stop and save the entire locality from the acts of omission and commission being committed by the Defendants hereinafter mentioned. In The Court of Sub Judge : …………………………… Suit No.:______ of 20……. …………………………………………………………………….Plaintiff Versus ………………………………………………………………….Defendants Application under Section 80 (2) of the CPC Respectfully Sheweth: 1. That the Plaintiffs/applicants have on this day filed the accompanying suit seeking the reliefs of declaration and injunction against the defendants. The plaintiffs/applicants crave leave to refer to the contents and averments contained in the plaint at the time of hearing and disposal of the present application, the contents whereof are not being reproduced herein for the sake of brevity and may be read as part of this application. 2. That the subject matter of the accompanying suit filed by the Plaintiffs/Applicants concerns various acts affecting public and such other and further acts which are public nuisance and likely to affect general members of the public. The accompanying suit is being filed by invoking the provisions of Section 91 of the CPC and the leave of the court has been sought as required under the said provisions by a separate application.. The plaintiffs/applicants submits that if the acts of omission ad commission being committed by the defendants are allowed to sustain and continue the public shall suffer grievous, irreparable harm, injury and loss. 3. ______ 4. That there exists a very plausible and sustainable cause of action in the facts and circumstance disclosed in the Plaint. That there exists a prima facie case in favour of the Plaintiffs and severe loss, harm and injury shall be caused if the reliefs prayed for herein are not granted. No prejudice shall be caused to the Defendants if the leave prayed for herein is granted. That in the event prior notices are for sixty days are served, grave prejudice shall be caused in as much as the nuisance complained off affect the public at large. 5. The present application is bonafide and is being made in the interest of justice. WHEREOF it is most respectfully prayed that this Hon'ble Court may be pleased to:- (a) Grant leave to the Plaintiffs/Applicants under Section 80 (2) of the CPC to maintain the accompanying suit without compliance with Section 80 (1) of the CPC 1908. (b) Pass such further and other orders as this Hon'ble Court may deemed fit and proper in the facts and circumstances of the case. ……………………………. Plaintiffs/Applicants …………………………….. Through, Advocate In The Court of Sub Judge : …………………….. Suit No.:______ of 2008 ………………………………………………………………………………………………..Plaintiff Versus ………………………………………………………………………………………………..Defendants Affidavit in support of application under Section ________ of CPC I, ___________________________________ , do hereby solemnly affirm and declare as under:- 1. That the accompanying application has been prepared under my instructions. 2. That the contents of paras 1 to __________ of the accompanying application are correct and true. 3. That I further solemnly affirm and declare that this affidavit of mine is correct and true, no part of it is false and nothing material has been concealed therein. Affirmed here at Coimbatore this the ______________________ . Deponent In The Court Of Sub Judge :………………….. Suit No.:______ of 20….. ………………………………………………………………………………..……………………Plaintiff Vs …………………….. ………….. ……… Defendants Application under Section 91 (1) (b) of the Code of Civil Procedure Respectfully Sheweth: 1. That the Plaintiffs/applicants have on this day filed the accompanying suit seeking the reliefs of declaration and injunction against the defendants. The plaintiffs/applicants crave leave to refer to the contents and averments contained in the plaint at the time of hearing and disposal of the present application, the contents whereof are not being reproduced herein for the sake of brevity and may be read as part of this application. 2. That the subject matter of the accompanying suit filed by the Plaintiffs/Applicants concerns various acts affecting public and such other and further acts which are public nuisance and likely to affect general members of the public. The accompanying suit is being filed by invoking the provisions of Section 91 of the CPC and the leave of the court is required to be sought per the said provisions by a separate application.. The plaintiffs/applicants submits that if the acts of omission ad commission being committed by the defendants are allowed to sustain and continue the public shall suffer grievous, irreparable harm, injury and loss. 3. ______ 4. That there exists a very plausible and sustainable cause of action in the facts and circumstance disclosed in the Plaint. That there exists a prima facie case in favour of the Plaintiffs and severe loss, harm and injury shall be caused if the reliefs prayed for herein are not granted. No prejudice shall be caused to the Defendants if the leave prayed for herein is granted. That in the event prior notices are for sixty days are served, grave prejudice shall be caused in as much as the nuisance complained off affect the public at large. 5. The present application is bonafide and is being made in the interest of justice. WHEREOF it is most respectfully prayed that this Hon'ble Court may be pleased to:- (a) Grant leave to the Plaintiffs/Applicants under Section 80 (2) of the CPC to maintain the accompanying suit without compliance with Section 80 (1) of the CPC 1908. (b)Pass such further and other orders as this Hon'ble Court may deemed fit and proper in the facts and circumstances of the case. …………………. Plaintiffs/Applicants ______ Through, Advocat e In The Court Of Sub Judge :………………… Suit No.:______ of 20………… ………………………………………………………………………………………..………………Plaintiff Versus …………………………………………………………………………………………………………Defendants Affidavit in support of application under Section _______ of CPC I, __________________________, do hereby solemnly affirm and declare as under:- 1. That the accompanying application has been prepared under my instructions. 2. That the contents of paras 1 to ____ of the accompanying application are correct and true. 3. That I further solemnly affirm and declare that this affidavit of mine is correct and true, no part of it is false and nothing material has been concealed therein. Affirmed here at Shimla this the ______ . Deponent In The Court Of Sub Judge : …………………………. Suit No.:______ of 20……… …………………………………..……………………………………………………………. Plaintiff Versus ……………………………………………………………………………………………….. Defendants Application under Section 31 (1) & (2) of Code of Civil Procedure Respectfully Sheweth: 1. That the Plaintiffs/applicants have on this day filed the accompanying suit seeking the reliefs of declaration and injunction against the defendants. The plaintiffs/applicants crave leave to refer to the contents and averments contained in the plaint at the time of hearing and disposal of the present application, the contents whereof are not being reproduced herein for the sake of brevity and may be read as part of this application. 2. That the subject matter of the accompanying suit filed by the Plaintiffs/Applicants concerns various acts affecting public and such other and further acts which are public nuisance and likely to affect general members of the public. The accompanying suit is being filed by invoking the provisions of Section 91 of the CPC and the leave of the court has been sought as required under the said provisions by a separate application.. The plaintiffs/applicants submits that if the acts of omission ad commission being committed by the defendants are allowed to sustain and continue the public shall suffer grievous, irreparable harm, injury and loss. 3. ______ 4. That there exists a very plausible and sustainable cause of action in the facts and circumstance disclosed in the Plaint. That there exists a prima facie case in favour of the Plaintiffs and severe loss, harm and injury shall be caused if the reliefs prayed for herein are not granted. No prejudice shall be caused to the Defendants if the leave prayed for herein is granted. That in the event prior notices are for sixty days are served, grave prejudice shall be caused in as much as the nuisance complained off affect the public at large. 5. The present application is bonafide and is being made in the interest of justice. WHEREOF it is most respectfully prayed that this Hon'ble Court may be pleased to:- (a) Grant leave to the Plaintiffs/Applicants under Section 80 (2) of the CPC to maintain the accompanying suit without compliance with Section 80 (1) of the CPC 1908. (b) Pass such further and other orders as this Hon'ble Court may deemed fit and proper in the facts and circumstances of the case. ………………………………….. Plaintiffs/Applicants ______ Through, Advocate In The Court Of Sub Judge : …………………….. Suit No.: ______ of 20………. ………………………………………..………………………………………………………………Plaintiff Versus ………………………………………………………………………………………………………..Defendants Affidavit in support of application under Section ______ of CPC I, __________________________, do hereby solemnly affirm and declare as under:- 1. That the accompanying application has been prepared under my instructions. 2. That the contents of paras 1 to ____ of the accompanying application are correct and true. 3. That I further solemnly affirm and declare that this affidavit of mine is correct and true, no part of it is false and nothing material has been concealed therein. Affirmed here at ………………….. this the _________ . Deponent
- Injunction Prohibitory
Injunction Prohibitory IN THE COURT OF LEARNED CIVIL JUDGE (SENIOR DIVISION) ………………… In Civil Suit No.: ______ of 20…… …………………………………………………………………Plaintiff Versus ……………………………………………………………Defendants Civil suit for permanent prohibitory injunction for restraining the defendants from interfering in any manner whatsoever particularly ______ situated over Khata No. ______ Khasara No. _______ more particularly depicted in rough plan of the sight and photograph excepting in accordance with Law. Respectfully Sheweth: 1. That the plaintiff is resident of _________________________________________________ 2. That the plaintiff is presently working as ______________________ with the department. 3. That in the month of ___________________ the state of _______________________ has orally granted the suit land in favour of the plaintiff and allowed the plaintiff to raise construction for his residential house over the same. The plaintiff has spent major portion of his hard earned money for the construction of the said shed house situated over Khata. Khatauni Khasara No. after getting the house constructed over the suit land by the plaintiff the state government/ department has also recognized the legal possessory status of the plaintiff over the suit land. The plaintiff has also been given electricity connection from electricity department and he has also got his ration card on the same address. The name of the plaintiff and other persons of his family members are also figuring in the voters list of the said ward. 4. That till _________________ nobody has objected to and raised any objection regarding the raising of construction of the house of the plaintiff over the said and the plaintiff lived there peacefully, openly and to the very constant of the owner of the property. The possession of the plaintiff is long standing a one and the same has not been disputed/ disturbed by any one till date. 5. That no show cause notice of any proceedings for the eviction of the plaintiff from the land and from the house raised by the plaintiff over the same has ever been initiated. 6. That on _________________ some of the officials from ________________ department came on the spot and threatened to dispossess the plaintiff from the suit land and also threatened to dismantle the house/shed of the plaintiff without any legal orders that too illegally and wrongly. As no order of eviction has been passed against the plaintiff till date by any competent authority/Court as such plaintiff has got prima facie a very good case in his favour since he is in possession of land for the last more than _____ years. The balance of convenience is also in favour of the plaintiff and against the dependent and in case the suit of the plaintiff is not decreed the plaintiff will suffer irreparable loss and injury which can't be compensated in terms of money, rather it will lead to multiplicity of litigation between the parties and the plaintiff will come on roads as he has no other residential house except the present one. 7. That there are as many as __________________________ residential house constructed by some other people over the adjoining land of the present plaintiff which is also owned by _______ government/department. That till date no show cause notice has been issued to them nor any proceedings for eviction has been started/initiated against them in the competent Court of law. The wrongful all illegal dispossession/dismantling the house of the plaintiff is arbitrary, malafide, illegal and even discriminatory. 8. Jurisdiction. 9. Cause of action. 10. Limitation. 11. Valuation. ………………………………….. Plaintiff ______ Through, Advocate Download Word Document In English. (Rs.20/-) Download PDF Document In Marathi. (Rs.20/-)
- Suit Permanent Injunction
Suit Permanent Injunction IN THE COURT OF CIVIL JUDGE, ……………………………………… Civil Suit No.:_______ of 20……….. Download Word Document In English. (Rs.55/-) Download PDF Document In Marathi. (Rs.55/-) ………………………………………………………………………………………………..Plaintiff Versus ………………………………….……………………………………………………………..Defendants Suit for Permanent Prohibitory Injunction and Mandatory Injunction restraining the defendant from raising any construction over the suit land comprising in Khata Khatauni No. ____________, Khasara No. __________________ measuring ___________________ Biswas situated at _________________________ restraining the defendant from causing any construction over the suit land against the Municipal Corporation Act and Bye-Laws and Town & Country Planning Act and Rules and also directing the defendant to remove illegal and unauthorised construction over the suit land owned and possessed by the plaintiff and also directing the demolition of the construction already raised or raised during the pendency of this suit on the set-back area of the suit land owned by the defendant _____________________and also with the prayer to direct the defendant to handover the peaceful possession of the suit land already encroached upon by the defendant No. 1. Respectfully Sheweth: 1. That the plaintiff is owner in possession of land comprising in KhataKhatauni No. _________ Khewat No. _________________, Khatauni No._____________ _____, Khasara No. __________________ measuring _______________________ Biswas situated at ___________________ as per the Jamabandi for the year ______. ______The plaintiff has a building raised on the above land duly sanctioned by the appropriate authority. 2. That the defendant is owner of the land comprised in KhataKhatauni No. _________________, Khasara No. ______ situated at _______ as per the Jamabandi for the year _______. 3. That the defendant No. 1 during the month of has started raising further construction in as much as without leaving any set-backs as prescribed by the law and further encroached upon the land of the plaintiff by projecting the Chhajjas towards the land of the plaintiff and thus obstructing light, air and sun to the building of the plaintiff besides causing nuisance to the plaintiff and his tenants, thereby depriving the plaintiff of his easementary rights of light, air and sun, which rights were being enjoyed by the plaintiff and his predecessor-in-interest from time immemorial peacefully, openly and hostile to the very knowledge of the defendant or other persons living in the vicinity. The said rights of easementary have now been infringed by the defendant in the month of ____ by raising the construction in haphazard manner in asmuch as the defendant ______ 4. That the cause of action accrued to the plaintiff on ______ 5. That the plaintiff is permanently residing within the jurisdiction of this Hon'ble court and all the correspondence from the defendants were received at his home address and the office of the defendant is located in the territory of this Hon'ble Court, hence this court has each and every jurisdiction to try and entertain this suit. ______ 6. That the value of the suit for the purposes of jurisdiction has been fixed for Rs. 200/- and for the purposes of declaration and correct and authorised court fee stamp of Rs. has been affixed on the plaint. 7. That no suit has been instituted agasinst the defendants on the same or similar cause of action in any other court including High Court and Supreme Court of India. 8. It is, therefore, most respectfully prayed that a decree for Permanent Prohibitory Injunction and Mandatory Injunction restraining the defendant from raising any construction over the suit land comprising in KhataKhatauni No. ___, Khasara No. _____ measuring _____ Biswas situated in _____ restraining the defendant from causing any construction over the suit land against the Municipal Corporation Act and Bye-Laws and Town & Country Planning Act and Rules and also directing the defendant to remove illegal and unauthorised construction over the suit land owned and possessed by the plaintiff and also directing the demolition of the construction already raised on the set-back area of the suit land owned by the defendant and also with the prayer to direct the defendant to handover the peaceful possession of the suit land already encroached upon by the defendant No. 1, be passed in favour of plaintiff and against the defendants with costs of the suit. Such other reliefs as deemed fit and proper in the facts and circumstances of the case may also be passed in favour of the plaintiff and against the defendants in the interest of justice. AND FOR THIS ACT OF KINDNESS, THE HUMBLE PLAINTIFF AS IN DUTY BOUND SHALL EVER PRAY. ………………………………… Plaintiff __________________ Through, Advocate Verification: I, _________________________-, do hereby verify that the contents of the above plaint from paras 1 to _______ are true and correct to the best of my knowledge and belief. Verified at Coimbatore this the _______. Plaintiff IN THE COURT OF CIVIL JUDGE, ……………………….. Civil Suit No:_______ of 20…. -------------------------------…………………………………………………………………….Plaintiff Versus …………………………………….…………………………………………………………………..Defendant Affidavit I, ………………………………………, do hereby solemnly affirm and declare as under:- 1.__________________________ That the accompanying plaint has been drafted under my instructions. For the sake of brevity, the contents of plaint are not being reproduced hereunder in this affidavit. However, the contents of the plaint may kindly be read as part and parcel of this affidavit. 2. That the contents of paras 1 to ______ of the plaint are correct and true to the best of my knowledge and paras _____ to _____ are believed to be correct being legal advise given by the counsel. 3. That I further solemnly affirm and declare that the contents of this affidavit of mine are correct and true and no part of it is false and nothing material has been concealed therein. Affirmed here at Coimbatore this ______ Deponent IN THE COURT OF CIVIL JUDGE, …………. Application No: ______ of 20………. …………………………………………………………………………………..………………..Applicant Versus ………………………………..……………………………………………………………………Respondent Application under order 39 Rule 1 and 2 of the Civil Procedure Code for Permanent Prohibitory Injunction and Mandatory Injunction restraining the defendant from raising any construction over the suit land comprising in KhataKhatauni No. ________, Khasara No. measuring _____ Biswas situated at _______ restraining the defendant from causing any construction over the suit land against the Municipal Corporation Act and Bye-Laws and Town & Country Planning Act and Rules and also directing the defendant to remove illegal and unauthorised construction over the suit land owned and possessed by the plaintiff and also directing the demolition of the construction already raised on the set-back area of the suit land owned by the defendant and also with the prayer to direct the defendant to handover the peaceful possession of the suit land already encroached upon by the defendant No. 1. Respectfully Sheweth: That the applicant/plaintiff has filed a case before this Hon'ble Court hearing where of will take some time. 2. That it is apparent from perusal of grounds and documents attached therewith that the applicant has prima facie a very good case in his favour and the case is likely to succeeds. The balance of convenience is in favour of the applicant. The grounds of the case may be read as part of this application to save the repetition. 3. That the interest of justice demands that the respondent is restrained from . In case the respondents are not restrain that the applicant will suffer irreparable loss and injury which cannot be compensated in terms of money and filing of this case will become infructuous. 4. It is therefore most respectfully prayed that the respondents be restrained from _____ in the interest of justice. Such other orders he also passed in favour of the applicant as deemed fit in facts and circumstances of the case. ……………………….. Applicant _______________ Advocate IN THE COURT OF CIVIL JUDGE, ………………………………… Application No: of 20….. ……………………………………………………………………………………………………………. Applicant Versus ……………………………………………….……………………………………………………………..Respondent Affidavit in support of application under order 39 Rule 1 and 2 of the Civil Procedure Code. I, , do hereby solemnly affirm and declare as under:- 1. That the accompanying application has been prepared under my instructions. 2. That the contents of paras 1 to ________ are true and correct to the best of my knowledge. 3. That I further solemnly affirm and declare that the contents of this affidavit of mine are correct and true to the best of my knowledge and no part of it is false and nothing material has been concealed therewith. Affirmed at ………………………. this ________ Deponent IN THE COURT OF CIVIL JUDGE, ………………… . ……………………………………………………………………………..…………………………………. Versus …………………………………………………………………………………………………………………… Suit : for Declaration ------------------------------------------------------ Name & Parentage Address ------------------------------------------------------ -1- ------------------------------------------------------ In the above noted suit every summons, notice & other order may be served on me on the address given above during the pendency of th suit. Change of Address will be intimated to the Court. Dated : ______ Sd:- Plaintiff Petitioner Defendant Respdt. Through, Advocate Process Fee IN THE COURT OF CIVIL JUDGE, ………………. ……………………………………………………………………………………………………….. Versus ………………………………………………………………………………………………………… Claim : for Declaration Date of Hearing :________ Date ________ By Whom Filed________ Purpose________ Amount ________ Stamp ________ ________ Plaintiff For service of defendants Advocate _______________________________________________ Received on _____________________ Court-fee stamp of the value of Rs. _________________ with ______ copies in case No.: ________________ of 20……………... ………………………………………………. Vs …………………………………………… Signature of the Head Notice Writer Under Order 7 Rule 13 [1] C.P.C. List of Documents Filed By Plaintiff/Defendant IN THE COURT OF CIVIL JUDGE, ………………….. ………………………………………….. ………………………………………….. Versus ………………………………………………………………………………….……. Date of Hearing: __________ Suit for : for Permanent Prohibitory Injunction Date of Production :________ S.No Details, Date What is If Documents If Rejected Documents Intended Filed What is Then the to be the Exh Marked Date of Proved From on it Return of Document Documents Date: Counsel for Plaintiff/Defendant List of Documents Relied Upon Under Order 7 Rule 14 CPC Filed by :_______ IN THE COURT OF CIVIL JUDGE, …………………………………………… ……………………………………………………………………..…………. Versus …………………………………………………………………………………. Suit : for Permanent Prohibitory Injunction Date of hearing: ---------------------------------------------------------------- 1. Have you produced any documents with the plaint so, what are those document.Yes Sir, as per list. 2. Do you wish to produce any more documents which are in your possession and custody if so, what are those documents.Yes sir, if required. 3. Do you wish to rely upon any other documents, if so in whose possession they are and what are those documents. Yes sir, later on from the custody of the defendants. ----------------------------------------------------------- Counsel for Dated : ______ Through, Advocate
- Petition for Divorce by Mutual Consent
Petition for Divorce by Mutual Consent In the Court of the MC. No of 2010 Between: WB……First Petitioner And AB…….Second Petitioner Application under section 13B of the Hindu Marriage Act of 1955 The petitioners above-named beg to state as follows: 1. The address of the petitioners for the service of all notices and process is that of their advocates and Mr……… 2. The first petitioner and the second petitioner are wife and husband respectively having been married at………..on the…………..and the said marriage is still subsisting. The marriage was performed in accordance with Hindu Vedic Rites. A copy of the marriage invitation is filed herewith and marked 'A'. There are no children by the marriage. 3. The first petitioner and the second petitioner after the marriage lived and resided at…………..and elsewhere and finally at………………at the address of the petitioner given above, whence they separated on the………… 4. Soon after the marriage owing to differences in temperament, habits, tastes, thoughts, and increasing incompatibility, the relationship between the first petitioner and the second petitioner deteriorated. Frequent quarrels resulted as between them with several reconciliations which did not, however, last for any length of time. Finally, after a very serious quarrel and in order to avoid further deterioration in relationship which might reflect on their families and friends, the first petitioner and the second petitioner out of free will and accord separated on the……..never to return to each other. The petitioners, therefore, finally separated owing to irreconcilable differences in habits and temperament on the…………….within the jurisdiction of this Hon'ble Court. 5. Further efforts and attempts were made by mutual friends and acquaintances to effect a reconciliation and for a resumption of the marital relationship but it has not been possible owing to the vital differences in temperament and total incompatibility giving rise to invincible repugnance which had rendered normal married life impracticable and impossible and fraught with dangerous adverse physical and mental consequences. 6. The first petitioner states that she and the second petitioner have been separated and living apart for more than two years and the duration of cohabitation prior thereto was not in any case for much more than a year. 7. In the circumstances the first petitioner and second petitioner have mutually agreed and decided that there is no point for the continuance of the marital relationship and have further agreed upon the dissolution of the marriage tie by a decree of divorce. 8. The petitioners state and submit that in the circumstances aforesaid it is therefore desirable and necessary that the marriage should be dissolved in the mutual interests of the parties, there being no chance of reconciliation. 9. The cause of action for this petition arose on the…………when the first and the second petitioner were married and on the………….within the jurisdiction of this Hon'ble Court when the first petitioner and the second petitioner finally agreed to separate with the departure of the second petitioner. 10. A court-fee of Rs………..is paid under………….of the……………Both the first and the second petitioner state that there is no impediment to the dissolution of the marriage and the decision to separate and apply for a divorce has been arrived at after such consideration and after having given the utmost importance to all aspects of the case. The first and the second petitioner therefore pray that this Hon'ble Court be pleased to pass a decree declaring the marriage solemnised between the first and the second petitioner under the Hindu Vedic Rites on……….. be dissolved and for such other reliefs as this Hon'ble Court may deem fit. First Petitioner………. Second Petitioner……… Verification I, WB wife of AB aged about…………….years residing at………..do hereby solemnly affirm and say as follows: I am the petitioner above-named and I know and I have made myself acquainted with the facts and circumstances of this case. The statements in paragraphs 1 to 13 are true to my knowledge and belief. I sign this verification on this……………day of…………….at the Court House at…………. Signature of WB Before me Signature of Advocate Notary I, AB son of XY aged about…………..years residing at………………….do hereby solemnly affirm and say as follows: I am the petitioner above-named and I know and I have made myself acquainted with the facts and circumstances of this case. The statements in paragraphs 1 to 13 are true to my knowledge and belief. I sign this verification on this………..day of…………….at the Court House at………………. Signature of AB Before me Signature of Advocate Notary Download Word Document In English. (Rs.30/-) Download PDF Document In Hindi. (Rs.30/-)
- Agreement of Maintenance between Husband and Wife not being a Separation Agreement
Agreement of Maintenance between Husband and Wife not being a Separation Agreement THIS AGREEMENT is made this……..day of………..between AB son of……residing at……….(hereinafter called the husband) of the one part and CD, daughter of………..residing at……………..and wife of AB (hereinafter called the wife) of the other part. Hereby it is agreed between the parties hereto as follows: 1. The husband will pay to the wife for her support and maintenance (and for the support and maintenance of their children hereinafter mentioned) a monthly sum of Rs….during the joint lives of the parties hereto so long as the wife shall lead a chaste life the first payment hereunder to be made on……….. 2. The wife will out of the said sum support and maintain herself (and the said children) and will indemnify the husband against all debts if incurred by her (and against all liability whatsoever in respect of the said children) and will not in any way at any time hereafter pledge the husband's credit. 3. The wife while living separate from the husband shall have the custody and control of the minor children of the marriage. The right of the wife to such custody and control shall cease upon the children respectively attaining the age of eighteen years. 4. Upon the failure of the husband to make the said payments as and when the same become due the wife shall be at full liberty to pursue all and every remedy in this regard either by enforcement of the provisions hereof or as if this agreement had not been made. IN WITNESS WHEREOF the parties hereto have signed these presents on the day, month and year first above-written. Signed and delivered by AB the husband in presence of: Signed and delivered by CD the wife in the presence of: Download Word Document In English. (Rs.20/-) Download PDF Document In Hindi. (Rs.20/-)
- PETITION FOR THE ANNULMENT OF A MARRIAGE
PETITION FOR THE ANNULMENT OF A MARRIAGE IN THE DISTRICT COURT AT.................... ........................................................................ Petitioner versus ..................................................................... Respondent Petition for the annulment of a marriage under Section 25 of the Special Marriage Act, 1954 (No. 43 of 1954). The petitioner prays as follows: — 1. The petitioner is the husband/wife of the respondent. The marriage between the parties was solemnized/registered under Chapter II/Chapter III of the Act by the Marriage Officer of.................... at.................... on.................... A certified copy of the certificate of marriage is attached with this petition. 2. The status and place of residence of the parties to the marriage before the marriage and at the time of filing the petition were as follows: Husband Wife Status Status Age Age Place of Residence Place of Residence (i) Before marriage (ii) At the time of filing the petition 3. (In this paragraph state the names of the children, if any, of the marriage together with their sex, dates of birth or ages). 4. (State here one or more of the statutory grounds on which relief is sought. Facts on which the claim to relief is founded should be stated as distinctly as the nature of the case permits). 5. There has not been any previous proceedings with regard to the marriage by or on behalf of any party. There have been the following previous proceedings with regard to the marriage by or on behalf of any party Serial No. Name of Parties Name of Proceedings with section of the Act Number and date and year of the case Name and location of the court Result (i) (ii) (iii) (iv) 6. There is no other legal ground why the relief should not be granted. 7. The marriage was solemnized at....................... The parties last reside at ....................... The Parties last resided together at........................ OR (Where the petition is by a wife domiclied in the territories of India except the State of Jammu and Kashmir). The petitioner is resident within the territories of India, except the State of Jammu and Kashmir and has been ordinarily resident therein for a period of three years immediately proceeding the presentation of this petition and the respondent is not resident in the said territoriies. 10. The petitioner submits that this Hon’ble Court has jurisdiction to entertain this petition. 11. The petitioner, therefore, prays that the marriage between the parties being voidable, may be annulled by the Court by a decree of nullity. Petitioner VERIFICATION The abovenamed petitioner states on solemn affirmation that Paras................. to.................... of the petition are true to the petitioner’s knowledge and paras .................... to.................... are true to the petitioner’s information received and believed to be true by him. Verified on this................. day of.................... 19.................... at.................... Place.................... Petitioner Download Word Document In English. (Rs.20/-) Download PDF Document In Hindi. (Rs.20/-)
- PETITION FOR DECREE OF NULLITY OF MARRIAGE
PETITION FOR DECREE OF NULLITY OF MARRIAGE IN THE DISTRICT COURT AT.................... ........................................................................ Petitioner versus ..................................................................... Respondent Petition for decree of nullity of marriage under Section 24(1) of the Special Marriage Act, 1954 (No. 43 of 1954). The petitioner prays as follows: — 1. The petitioner is the husband/wife of the respondent. The marriage between the parties was solemnized/registered under Chapter II/III of the Act by the Marriage Officer of.................... at.................... on.................... A certified copy of the certificate of marriage is attached with this petition. 2. The status and place of residence of the parties to the marriage before the marriage and at the time of filing the petition were as follows: Husband Wife Status Status Age Age Place of Residence Place of Residence (i) Before marriage (ii) At the time of filing the petition 3. (In this paragraph state the names of the children, if any, of the marriage together with their sex, dates of birth or ages). 4. (State here one or more of the grounds on which a decree of nullity is sought. Facts on which the claim to relief is founded should be stated in compliance with the Rules and as distinctly the nature of the case permits). 5. There has not been any previous proceedings with regard to the marriage by or on behalf of any party. OR There have been the following previous proceedings with regard to the marriage by or on behalf of the parties: — Serial No. Name of Parties Name of Proceedings with section of the Act Number and date and year of the case Name and location of the court Result (i) (ii) (iii) (iv) 6. There has not been any unnecessary or improper delay in filing this petition. 7. The petition is not presented in collusion with the respondent. 8. There is no other legal ground why the relief should not be granted. 9. The marriage was solemnized at....................... The parties reside ....................... Parties last resided together at..................... Or (Where the petition is by a wife domiciled in the territories of India except the State of Jammu and Kashmir). The petitioner is resident within the territories of India except the State of Jammu and Kashmir and has been ordinarily resident therein for a period of three years immediately preceding the presentation of the petition and the respondent is not resident in the said territories. 10: The petitioner submits that this Hon’ble Court has jurisdiction to entertain this petition. 11. The petitioner, therefore, prays that the marriage solemnized between the Act being null and void may be so declared by the Court by a decree of nullity. Petitioner VERIFICATION The abovenamed petitioner states on solemn affirmation that Paras................. to.................... of the petition are true to the petitioner’s knowledge and paras .................... to.................... are true to the petitioner’s information received and believed to be true by him. Verified on this................. day of.................... 19.................... at.................... Place.................... Petitioner Download Word Document In English. (Rs.20/-) Download PDF Document In Hindi. (Rs.20/-)
- PETITION FOR REGISTRATION OF MARRIAGE
PETITION FOR REGISTRATION OF MARRIAGE IN THE DISTRICT COURT AT.................... ........................................................................ Petitioner versus ..................................................................... Respondent Petition under Section 24(2) of the Special Marriage Act, 1954 (No. 43 of 1954) for having the registration of a marriage under Chapter III of the Act declared to be of no effect. The petitioner prays as follows: — 1. The petitioner is the husband/wife of the respondent. The marriage between the parties was registered under Chapter III of the Act by the Marriage Officer of.................... at.................... on.................... and it may be deemed to be a marriage solemnized under the Act by virtue of the provisions of Section 18. A certified copy of the certificate of marriage is attached with this petition. 2. The status and place of residence of the parties to the marriage before the marriage and at the time of filing the petition were as follows: Husband Wife Status Status Age Age Place of Residence Place of Residence (i) Before marriage (ii) At the time of filing the petition 3. (In this paragraph state the names of the children, if any, of the marriage together with their sex, dates of birth or ages). 4. (State here one or more of the statutory grounds on which relief is sought. Facts on which the claim to relief is founded should be stated as distinctly as the nature of the case permits). 5. There has not been any previous proceedings with regard to the marriage by or on behalf of the parties. OR There have been the following previous proceedings with regard to the marriage by or on behalf of the parties: — Serial No. Name of Parties Name of Proceedings with section of the Act Number and date and year of the case Name and location of the court Result (i) (ii) (iii) (iv) 6. There has not been any unnecessary or improper delay in filing this petition. 7. The petition is not presented in collusion with the respondent. 8. There is no other legal ground why the relief should not be granted. 9. The marriage was solemnized at....................... The parties last resided together at....................... The Parties are now residing at..................... (within the local limits of the ordinary original jurisdiction of this Court). 10. The petitioner submits that this Hon’ble Court has jurisdiction to entertain this petition. 11. The petitioner, therefore, prays that the registration of the said marriage under Chapter III of the Act may be declared by Court to be of no effect. Petitioner VERIFICATION The abbvenamed petitioner states on solemn affirmation that Paras................. to.................... of the petition are true to the petitioner’s knowledge and paras .................... to.................... are true to the petitioner’s information received and believed to be true by him. Verified on this................. day of.................... 19.................... at.................... Place.................... Petitioner Download Word Document In English. (Rs.20/-) Download PDF Document In Hindi. (Rs.20/-)
- SUIT FOR DOWER BY LEGAL REPRESENTATIVES OF THE WIFE AGAINST THE LEGAL REPRESENTATIVES OF THE DECEASED HUSBAND.
SUIT FOR DOWER BY LEGAL REPRESENTATIVES OF THE WIFE AGAINST THE LEGAL REPRESENTATIVES OF THE DECEASED HUSBAND IN THE COURT OF THE.................... Suit No..................... of 19.................... CD.................................................................... Plaintiff versus C. F................................................................. Defendant The abovenamed plaintiff most respectfully submits as under: — 1. That.................... and.................... both were Sunni Mohammedans and their marriage with each other was performed according to Muslim Law applicable to Sunnis on.................... 19.................... and Rs..................... was settled to be the dower debt, which still remains unpaid. 2. That.................... died on.................... 19.................... and XY is her only legal representative being her step son..................... also died on.................... 19.................... leaving behind him.................... etc. as his legal representatives. 3. That A. B. was in possession of one house No..................... situate at .................... out of the estate of..................... and the plaintiff is at present in exclusive possession of that house. The rest of the estate of.................... is in possession of the defendant’s legal representatives. 4. That the cause of action arose within the jurisdiction of this Court on .................... 19.................... when.................... died. 5. The suit is valued at Rs.................... the amount of the dower debt remaining unpaid, and this Court has jurisdiction to try the suit. Court-fee is paid according to the relief claimed. RELIEF CLAIMED: The Plaintiff claims payment of Rs................ from the defendant’s legal representatives of.................... and interest from the date of filing the suit till payment thereof. The amount may be realised from the entire estate of.................... in the hands of the parties in a way as the Court directs. Plaintiff Through Advocate VERIFICATION I, abovenamed plaintiff, do hereby verify that the contents of paras .................... to.................... of the plaint are true to my personal knowledge and those of paras.................... and.................... thereof are based on legal advice which I believe to be true. Verified on this................. day of.................... 19.................... at.................... Plaintiff Download Word Document In English. (Rs.15/-) Download PDF Document In Hindi. (Rs.15/-)
- APPLICATION UNDER SECTION 151 CPC FOR WAIVING OFF, CONDONING PERIOD OF SIX MONTHS FOR MOVING SECOND MOTION UNDER SECTION 13-B(2) OF HINDU MARRIAGE ACT.
APPLICATION UNDER SECTION 151 CPC FOR WAIVING OFF, CONDONING PERIOD OF SIX MONTHS FOR MOVING SECOND MOTION UNDER SECTION 13-B(2) OF HINDU MARRIAGE ACT Download Word Document In English. (Rs.30/-) Download PDF Document In Hindi. (Rs.30/-) IN THE COURT OF.................... In Re: H. M. A. Case No.................... 7200 In the Matter of: AB (add description and address)......... Petitioner No. 1 And CD (add description and address).................... Petitioner No. 2 APPLICATION UNDER SECTION 151 C. P. C. FOR WAIVING OFF/ CONDONING THE PERIOD OF SIX MONTHS FOR MOVING THE SECOND MOTION UNDER SECTION 13-B(2) OF THE HINDU MARRIAGE ACT AS AMENDED UP TO DATE. Most Respectfully Showeth: - 1. That the petitioners have filed a petition under section 13-B(1) of the Hindu Marriage Act as amended uptodate. 2. That the earlier petition filed by the petitioner No. 1 under section 13(l)(ia) of the said Act was filed on........................... which has been now converted and amended with the permission of the Hon’ble Court into a petition under section 13(B)(1) of the Hindu Marriage Act. 3. That after........................... both the petitioners have been residing separately and there are no chances of re-conciliation or re-joining by them in future. 4. That in view of the facts and circumstances that there are no chances of reconciliation and that the parties have not consumated since.................... no useful purpose will be served for waiting for another period of six months for the purposes of passing of a final decree of divorce by mutual consent dissolving their marriage. In view of the facts and circumstances stated hereinabove it is, therefore most respectfully prayed that in the interest of justice and expediency, the period of six months as required under law for filing the second motion under section 13-B(2) of the Hindu Marriage Act be waived off and condoned. It is prayed accordingly. Petitioner No. 1 Petitioner No. 2 Through Advocate Place:.................... Dated:.................... AFFIDAVIT IN SUPPORT OF APPLICATION IN THE COURT OF...................................... In Re: H. M. A. Case No.............................. In the Matter of: - AB (add description and address)....... Petitioner No. 1 And CD (add description and address)......... Petitioner No. 2 AFFIDAVIT I,............................................... wife of................................... resident of ............................................................... do hereby solemnly affirm and declare as under: - 1. That I am petitioner No. 1 in the above noted case and am well conversant with the facts and circumstances of the case. 2. That the contents of accompanying application under section 151 C. P. C. for waiving/condoning the period of six months for filing the second motion petition, which have been drafted by my counsel under my instructions, the contents of which may be read as part and parcel of this affidavit and are not being reproduced herein for the sake of brevity. Deponent VERIFICATION Verified at.................... on this.................... day of.................... that the contents of my above affidavit are true and correct to my knowledge, no part of it is false and nothing material has been concealed therefrom. Deponent AFFIDAVIT IN SUPPORT OF APPLICATION IN THE COURT OF........................................ In Re: H. M. A. Petition No..................... /200 In the Matter of AB....................................................... Petitioner No. 1 And CD....................................................... Petitioner No. 2 AFFIDAVIT I,............................................. Son of Shri................................................. Resident of.................................................................. do hereby solemnly affirm and declare as under: - 1. That I am petitioner No. 2 in the above noted case and am well conversant with the facts and circumstances of the case. 2. That the contents of accompanying application under section 151 C. P. C. for waiving/condoning the time of six months for filing the second motion petition for divorce by mutual consent, have been drafted by my counsel under my instructions, the contents of which may be read as part and parcel of this affidavit and are not being reproduced herein for the sake of brevity. Deponent VERIFICATION Verified at.................... on this............................................................ that the contents of my above affidavit are true and correct to my knowledge, no part of it is false and nothing material has been concealed therefrom. Deponent
- PETITION FOR A DECREE OF NULLITY OF MARRIAGE
PETITION FOR A DECREE OF NULLITY OF MARRIAGE IN THE DISTRICT COURT AT.................... ........................................................................ Petitioner versus ..................................................................... Respondent Petition for a decree of nullity of marriage under Section 11 of the Hindu Marriage Act, 1955 (No. 25 of 1955). The petitioner prays as follows: — 1. A marriage was solemnized between the parties after the commencement of the Hindu Marriage Act on.................... at.................... A certified extract from the Hindu Marriage Register/affidavit duly attested is filed herewith. 2. The status and place of residence of the parties to the marriage before the marriage and at the time of filing the petition were as follows: Husband Wife Status Status Age Age Place of Residence Place of Residence (i) Before marriage (ii) At the time of filing the petition [Whether a party is a Hindu by religion or not is a part of his or her status. 3. [In this paragraph particulars and place(s) of co-habitation as husband and wife and the children from the marriage, if any, may be given. The date and place of birth and name and sex of each child and the fact whether alive or dead should also be stated]. 4. The respondent has a spouse living at the time of the marriage (State full particulars). Or The parties are within the degrees of prohibited relationship and there is no custom or usage governing each of them which permits of a marriage between the two. (Exact relationship between the parties should be given). Or The parties are sapindas of each other and there is no custom or usage governing each of them which permits of a marriage between the two. (Exact relationship between the parties should be specified). (One or more of the above grounds may be pleaded and portions which are not applicable should be scored out. Facts on which the claim to relief is founded should be stated as distinctly as the nature of the case permits. The Matrimonial offences charged should be set in separate paragraph with times and places of their alleged commission). 5. There has not been any unnecessary or improper delay in filing the petition. 6. There is no other legal ground why relief should not be granted 7. There has not been any previous proceedings with regard to the marriage by or on behalf of any party. Or There have been the following previous proceedings with regard to the marriage by or on behalf of the parties: — Serial No. Name of Parties Name of Proceedings with section of the Act Number and date and year of the case Name and location of the court Result (i) (ii) (iii) (iv) 8. The marriage was solemnized/reside/parties ................. within the local limits of the ordinary orieinal last resided civil jurisdiction of this Court. 9. The petitioner, therefore, prays that the marriage Solemnized between the parties being null and void may be so declared by the Court by a decree of nullity. Petitioner VERIFICATION The abovenamed petitioner states on solemn affirmation that Paras.................... to.................... of the petition are true to the best of the petitioner’s information and belief. Verified on this................. day of.................... 19.................... at.................... Place.................... Petitioner Download Word Document In English. (Rs.20/-) Download PDF Document In Hindi. (Rs.20/-)














