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  • RECEIPT TO THE EXECUTOR OF WILL FOR FULL DISCHARGE

    RECEIPT TO THE EXECUTOR OF  WILL FOR FULL DISCHARGE  I _______________________________, S/o_______________________, R/o _____________________ have received with thanks from Sh. _____________________, S/o_____________________________, R/o ______________________________ who is the executor of my father’s will, the sum of Rs.________ (Rupees __________________________________ only) being my share of the proceeds of my fathers property.  I hereby approved and accept the accounts maintained by Shri(Executor)___________________ and also accept the above-mentioned sum in full satisfaction of all my claims against the said executor on account of property of my father.  Date:__________ _________ Signature  Witnesses:  1.  2.  Download Word Document In English. (Rs.15/-) Download PDF Document In Marathi. (Rs.15/-)

  • RECEIPT BY AGENT

    RECEIPT BY AGENT  I __________________________, S/o______________________, R/o ___________________________ on behalf of and as the agent of Sh. _______________________, S/o___________________________, R/o ______ have received on this ___ day of ____ from Sh. _____, S/o______, R/o _______ the sum of Rs. ______ on account of license fees for the period of ____ to _______ for Sh.._________________ the property situated at ________________________________ Signed by _____ on this ___ day of ____ in the presence of the following witnesses. (Signed) Agent for the said Sh.__ __________________________________________ Witnesses:  Download Word Document In English. (Rs.15/-) Download PDF Document In Marathi. (Rs.15/-)

  • RECEIPT ON ACCOUNT OF PAYMENT OF ALL DEBTS DUE

    RECEIPT ON ACCOUNT OF PAYMENT OF ALL DEBTS DUE  I ______________________, S/o___________________, R/o __________________________ have  received on this ____ day of _____ from Sh. _______________________, S/o______________________,  R/o ________________________ the sum of Rs.________ (Rupees _________________________ only)  against discharge of all claims and to the fulfilment of all pending debts, which I have against him up to  this day.  Signed by _____ on this ___ day of ____ in the presence of the following witnesses.  Witnesses:  1.  2.  Download Word Document In English. (Rs.15/-) Download PDF Document In Marathi. (Rs.15/-)

  • RENT RECEIPT IN BILL FORM

    RENT RECEIPT IN BILL FORM  Bill No…………………………….…………. Dated _____/____, 20_______ To AA. (Tenant) _________________________________________Debtor. RENT falls due on the last day of each month, whether bills are issued or not. Particulars Rs………………………………….. .  To  1. Rent of house No______________________ situate at ________, __________for the period ____________________to ________ _________________2. Arrears of rent for the period ________ __________________________ to ________ ___________________________________ 3. Interest on above arrears for the period ________ to ________ 4. Arrears of rent for the period ________ to ________ 5. Interest on above arrears for the period ________ to ______________________________ Total________ ______________________ Download Word Document In English. (Rs.15/-) Download PDF Document In Marathi. (Rs.15/-)

  • SUIT FOR DAMAGES FOR BEING BITTEN BY THE DOG OF THE DEFENDANT

    SUIT FOR DAMAGES FOR BEING BITTEN BY THE DOG OF THE DEFENDANT IN THE COURT OF THE.................... Suit No..................... of 19.................... C. D.................................................................... Plaintiff versus  C. F................................................................. Defendant The abovenamed plaintiff most respectfully submits as under: — 1. That the defendant keeps a sane dog which is ferocious and is known to the defendant as such. On.................... 19.................... in the evening when the plaintiff was passing by the street, that dog bit him damage of Rs..................... in his medical treatment and loss of business during the days of his treatment in the beginning, and attending the hospital for getting the prescribed injections in cases of dog-bites. 2. That the particulars of the damage caused to the plaintiff are following:  Expenses for the treatment at the residence of the plaintiff through a private doctor as preliminary treatment in dog-bites.................... Rs..................... /- Expenses for conveyance to the S. N. Medical Hospital for getting injections on.................... days.................... Rs..................... Loss of business of the plaintiff during the days of treatment Rs..................... /- Total damage.................... 3. That the cause of-action arose on.................... 19.................... when the dog of the defendant bit the plaintiff and caused him injuries and this court has jurisdiction to decide the matter. RELIEF CLAIMED: The plaintiff claims payment of Rs............... as damages from the defendant. 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/-)

  • SUIT FOR CANCELLATION OF A SALE DEED

    SUIT FOR CANCELLATION OF A SALE DEED IN THE COURT OF THE.................... Suit No..................... of 19.................... C. D.................................................................... Plaintiff versus  C. F................................................................. Defendant The abovenamed plaintiff most respectfully submits as under: — 1. That the plaintiff has been serving as.................... under the Central Government, at..................... and his father Shri.................... had been residing at his home at.................... with his mother, and had been suffering from Tuberculosis for the last two years. 2. That Shri.................... aforesaid has died on.................... after long illness aforesaid and when the plaintiff reached his home village to perform the funeral ceremony of his father and remained there for performance of the Trayodoshi Sanskar, he came to know from some reliable source that Shri..................... a fast friend of his father had taken the latter to the registry of the District and has got executed a sale deed of the tenancy lands of his father in the said village on ..................... by misrepresentation or undue influence. 3. That the sale deed aforesaid is void due to misrepresentation or undue influence and also due to the fact that said.................... was not in his normal senses due to his long sickness and it is expedient that the said sale deed be cancelled. 4. That the cause of action arose on.................... 19...................., within the jurisdiction of this Court when the said sale deed was executed. 5. That the suit is valued at Rs..................... and court-fee is paid thereon. RELIEF CLAIMED: The relief claimed by this suit is that the sale deed dated.................... 19 .................... executed by Shri.................... in favour of Shri.................... defendant and cost of the suit be awarded to the plaintiff. 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/-)

  • SUIT FOR CLAIM FOR WORK DONE UNDER A CONTRACT BETWEEN THE PARTIES

    SUIT FOR CLAIM FOR WORK DONE UNDER A CONTRACT BETWEEN THE PARTIES IN THE COURT OF THE.................... Suit No..................... of 19.................... C. D.................................................................... Plaintiff versus  C. F................................................................. Defendant The abovenamed plaintiff most respectfully submits as under: — 1. That the plaintiff is a building contractor. He was given a contract in writing on..................... 19.....................by the defendant to construct his building according to the building plan sanctioned by the Delhi Municipal Corporation, for Rs..................... /-(.......................................) out of which only Rs..................... (one lakh rupees) were paid to the plaintiff as advance money on the aforesaid date and the remaining amount was to be paid on completion of the work. 2. That the plaintiff took two years in completing the construction aforesaid, due to shortage of building material in.................... and also because time was not the essence of the contract. 3. That when on.................... 19.................... through a registered letter the plaintiff demanded the amount due i. e., Rs..................... /-(........................................) from the defendant, which letter was received by the defendant on.................... 19 ..................... the defendant has denied his liability to pay on the make belief that unnecessary delay has been caused in completing the work and as such he has suffered damage of Rs..................... /- (........................................) in the business which he proposed to begin and conduct from the proposed house to be built and also on the make belief that the building material used is of a very inferior quality than reasonably expected. This reply has been received by the plaintiff on.................... 19 4. That cause of action arose on.................... 19.................... when the plaintiff demanded the balance amount for work done, and this Court has jurisdiction to decide the matter. 5. That the suit is valued at Rs..................... the balance amount of construction done by the plaintiff, and court-fee is paid there for. RELIEF CLAIMED: The plaintiff claims payment of Rs..................... from the defendant with interest from date of the suit till payment thereof. 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/-)

  • SUIT BASED — ON CONTRACT — FOR ACCOUNT AGAINST A GENERAL ATTORNEY

    SUIT BASED — ON CONTRACT — FOR ACCOUNT AGAINST A GENERAL ATTORNEY IN THE COURT OF THE.................... Suit No..................... of 19.................... C. D.................................................................... Plaintiff versus  C. F................................................................. Defendant The abovenamed plaintiff most respectfully submits as under: — 1. That the plaintiff is the.................... of the.................... situated at 2. That the plaintiff appointed the defendant by a General Power of Attorney duly stamped and executed, as his agent to manage the temple aforesaid and the properties of the temple detailed in the schedule given at the foot of the plaint, to collect donations offered to the.................... and rents of the properties of the temple, during the period of the plaintiffs stay abroad on his mission from.................... 3. That the defendant began to mismanage the affairs and properties of the Temple since.................... and had been collecting offerings given to the.................... and the rents of the properties of the Temple. 4. That the details of the collections made by the defendant are not known to the plaintiff and the defendant has not submitted accounts of money received and expenses made by him, even at the request of the plaintiff to give complete accounts of the aforesaid temple and its property. 5. That the cause of action for the suit arose on.................... when the plaintiff demanded accounts and was refused by the defendant. 6. That the defendant is a resident of.................... within the territorial jurisdiction of this Court. 7. That the value of the subject-matter of the suit for the purpose of court fee and pecuniary jurisdiction is tentatively fixed at Rs..................... ( ........................................ ) and Court fee is paid accordingly. 8. That the reliefs claimed by this suit are: (1) That the defendant may be ordered to give a full and true account as the General Attorney of the Plaintiff; and (2) Payment of Rs..................... /-or such sum as may be found due from the defendant on taking such account. 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/-)

  • SUIT FOR EVICTION OF A LICENSEE AND FOR DAMAGES

    SUIT FOR EVICTION OF A LICENSEE AND FOR DAMAGES IN THE COURT OF THE.................... Suit No..................... of 19.................... C. D.................................................................... Plaintiff versus  C. F................................................................. Defendant The abovenamed plaintiff most respectfully submits as under: — 1. That the plaintiff gave his house No..................... situate at.................... town.................... for two months from.................... 19.................... to have the function of marriage ceremony of his daughter. The defendant being a friend of the plaintiff and a very near acquaintance of his. 2. That after the expiry of two months aforesaid, the defendant did not vacate the house, and on demand from the plaintiff, the defendant alleged his tenancy therein. 3. That on.................... 19.................... the plaintiff gave a registered notice to the defendant terminating his licence and to deliver vacant possession of the house to the plaintiff forthwith. This notice was received by the defendant on.................... 19.................... to which he replied alleging his tenancy again. This reply was received by the plaintiff on.................... 19..................... 4. That cause of action arose on.................... 19.................... when the term of licence in favour of the defendant expired, and secondly when the plaintiff terminated the licence through the registered notice and lastly on.................... 19 .................... when the plaintiff received the reply of the defendant denying any licence but alleging tenancy in his favour. 5. That the suit is valued at Rs..................... for jurisdiction as well as for court fee purposes and court fee is paid according to the reliefs claimed:  RELIEFS CLAIMED: The plaintiff claims the following reliefs: (1) possession of the house abovementioned to be delivered to the plaintiff by the defendant; (2) mesne profits at the rate of Rs..................... per month from the date of filing the suit till delivery of possession. 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/-)

  • SUIT FOR EXECUTION OF TRUST

    SUIT FOR EXECUTION OF TRUST IN THE COURT OF THE.................... Suit No..................... of 19.................... C. D.................................................................... Plaintiff versus  C. F................................................................. Defendant The abovenamed plaintiff most respectfully submits as under: — 1. He is one of the trustees under an instrument of settlement bearing date on or about the.................... day of.................... made upon the marriage of .................... and.................... the father and mother of the defendant (or an instrument of transfer of the estate and effects of..................... for the benefit of ..................... the defendant, and the other creditors of..................... 2..................... has taken himself the burden of the said trust, and is in possession of (or the proceeds of) the movable and immovable property transferred by the said instrument. 3..................... Claims to be entitled to a beneficial interest under the instrument. 4. Cause of action arose on.................... 19.................... when the instrument of settlement was made, and this court has jurisdiction to decide the case. 5. The suit is valued at Rs..................... the subject-matter of the settlement, and court fee is paid accordingly as the nature of the suit requires.  RELIEF CLAIMED: The plaintiff is desirous to account for all the rents and profits of the said immovable property (and the proceeds of the sale of the said, or of the part of the said, immovable property, or movable, or the proceeds of the sale of or part of the said movable property or the proceeds accruing to the plaintiff as such trustee in the execution of the said trust, and he prays that the Court will take the accounts of the said trust, and also that the whole of the said trust estate may be administered in the Court for the benefit of..................... the defendant, and all other persons who may be interested in such administration, in the presence of.................... and such other persons so interested as the Court may direct, or that.................... may show good cause to the contrary. 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/-)

  • SUIT FOR COMPENSATION FOR FAILURE TO FINISH THE WORK ACCORDING TO CONTRACT

    SUIT FOR COMPENSATION FOR FAILURE TO FINISH THE WORK ACCORDING TO CONTRACT IN THE COURT OF THE.................... Suit No..................... of 19.................... C. D.................................................................... Plaintiff versus  C. F................................................................. Defendant The abovenamed plaintiff most respectfully submits as under: — 1. That the plaintiff is a recognised and government aided Inter-mediate College in the City of.................... and the defendant is a furniture maker of the same city. The defendant agreed on.................... 19.................... to make and complete the furniture required for 6 new sections to be opened from the session next following in.................... 19..................... for Rs...................... The details of the furniture is given in the Schedule annexed hereto. 2. That the said furniture was to be completed before.................... in every case. But the defendant has utterly failed to make the said furniture by the time aforesaid, and the plaintiff could not arrange for the furniture from any other source for running the newly sanctioned sections of some classes mentioned below: and as such the plaintiff had to leave the idea for starting classes from this session beginning from.................... 19.................... and had to run a loss of Rs..................... caused thereby. Particulars of the ordered furniture: I. ..................... II. ..................... III. ..................... 3. That the defendant has not cared to complete the work within time and the plaintiff gave a registered notice dated.................... of 19.................... to him claiming damages from him, which was received by the Defendant on.................... 19.................... 4. That cause of action arose on.................... and this court has jurisdiction to decide the suit. 5. That the suit is valued at Rs..................... and court-fee is paid according to reliefs claimed. RELIEF CLAIMED: The plaintiff claims Rs..................... from him and interest from the date of the suit. 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.20/-)

  • SUIT FOR CANCELLATION OF A DOCUMENT ON THE GROUND OF MINORITY OF THE PLAINTIFF

    SUIT FOR CANCELLATION OF A DOCUMENT ON THE GROUND OF MINORITY OF THE PLAINTIFF IN THE COURT OF THE.................... Suit No..................... of 19.................... C. D.................................................................... Plaintiff versus  C. F................................................................. Defendant The abovenamed plaintiff most respectfully submits as under: — 1. That the plaintiff was aged.................... year on.............. 19............ his date of birth being............... 19................... 2. That the mother of the plaintiff, Smt..................... w/o Shri.................... executed a sale deed of the house of the plaintiff, House No..................... situate on.................... street.................... in favour of the defendant alleging herself to be the natural guardian of the plaintiff.  3. That the mother aforesaid of the plaintiff did not obtain permission of the District Judge for executing the aforesaid sale, and as such the sale deed is void. 4. The defendant has applied for mutation of his name in the Nagar Palika record on.................... and the plaintiff has reasonable apprehension that if the sale deed is left outstanding, the defendant will obtain possession of the said house or will execute another sale deed in favour of some third person in order to create further legal difficulties for the plaintiff. 5. The cause of action arose on.................... when the mother aforesaid of the plaintiff executed the sale deed in favour of the defendant, and this court has jurisdiction to try the suit. 6. That the suit is valued at Rs..................... the sale price of the house and for the purpose of court fee the valuation of the suit is Rs..................... as the plaintiff is in possession of the house which is the subject-matter of the sale-deed aforesaid, and court fee is paid thereon. RELIEF CLAIMED: The plaintiff claims. to have the sale-deed adjudicated void and cancelled. 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.20/-)

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