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  • SUIT BY AN AGENT FOR HIS COMMISSION

    SUIT BY AN AGENT FOR HIS COMMISSION 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 appointed through an agreement in writing on ............... 19................. by the defendant as the agent of the latter to sell his house No..................... situate at................ @................ % commission on the sale price to be received by the defendant was settled to be paid to the plaintiff. 2. That the plaintiff introduced Shri.................... would be purchaser of the house and the bargain of sale was settled to be for Rs..................... which was to be paid as sale price to the defendant on the date of the execution of the sale deed. Accordingly the sale deed was executed on.................... and registered on this day by the Sub-Registrar at.................... for the consideration aforesaid. 3. That the defendant did not pay the commission which amounts to Rs. .................... (.................... ) on the agreed terms, even at the demand made by the plaintiff on.................... when the defendant refused to pay anything as commission to the plaintiff. 4. That the suit is valued at Rs..................... and court fee is paid thereon. RELIEF CLAIMED: The relief claimed is: that the suit be decreed with costs ordering the defendant to pay Rs. .................... to the plaintiff and interest thereon @.................... % per annum from the date of sale upto date. EPlaintiff  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/-)

  • Will With Trust for Wife and Children

    Will With Trust for Wife and Children, Pecuniary Legacies and Annuities This is the last will of mine ab made this the ……….. Day of ………., 2000, which cancels all my former wills and codicils. 1.     I hereby revoke all my former wills and codicils. 2.     I appoint CD, EF and GH to be my executors and trustees. 3.     I bequeath all my household goods to my wife LN, absolutely. 4.     I bequeath all my books, clothes, watch and other personal effects to my eldest son OP. 5.     I bequeath;                       i.        Rs………………….. to my wife aforesaid to be paid as soon as possible.                      ii.        Rs…………………… to each of my executors who shall prove my will.                     iii.        Rs…………………… to each of my servants who at my death shall have been in employ for three years immediately preceding my death (or three months salary in addition to the wages then due or accruing.) 6.     I bequeath to my said wife LN an annuity for her life of Rs……………. And to my sister RS an annuity for life of Rs. ………… both of which will commence from my death. These annuities will be secured by the appropriation of investments, sufficient to ensure the same out of income therefrom and in case of any deficiency of income, the capital of the said appropriated fund will be liable . After this appropriation, any residuary estate will be free of the aforesaid annuities. 7.     The residue of my property , movable and immovable, has to be converted into money by my executors who shall after payment of my debts, funeral and testamentary expenses, invest and settle the same on the following trusts: a.     To pay the income to my wife aforesaid during her life. b.    Subject hereto in trust to pay or divide the corpus to or between all my children or who being male shall attain majority or being female shall attain majority or previously namely, the share which would have belonged to any child already dead or who may die before me leaving issue to go to such issue by substitution per stripes. 8.     My wife aforesaid shall have power during her life to appoint a new trustee in case of any vacancy. IN WITNESS WHEREOF I, the said AB, have signed this will hereunder the day and year first written above. (Sd.)……………… (AB) Signed by the above named AB in our presence at the same time and each of us has in the presence of the testator signed his name hereunder as an attesting witness. 1……………………. 2…………………… Download Word Document In English. (Rs.10/-) (Hindi) Download PDF Document In (Rs.20/-) Download PDF Document In Marathi. (Rs.10/-)

  • SUIT FOR DAMAGES BY SERVANT FOR WRONGFUL DISMISSAL

    SUIT FOR DAMAGES BY SERVANT FOR WRONGFUL DISMISSAL 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 appointed as the Office-in-Charge for their branch office at..................... at a monthly salary of Rs..................... per month, from .................... 19.................... with an agreement in writing that either party may resign or terminate the services as the case may be with the prior three months notice or with offer of three months pay in cash in lieu of the notice. 2. That the defendants have terminated the services of the plaintiff on .................... 19.................... without giving any notice as aforesaid or tender of three month’s salary in advance in lieu of notice. The defendants have also not paid one month’s earned salary for the month of.................... 19.................... 3. That the plaintiff has suffered damage of Rs..................... /- the one month’s earned pay and Rs..................... three month’s salary for notice period, thus total damage being of Rs...................... The plaintiff gave registered notice for tendering Rs..................... aforesaid as damages for wrongful termination, on .................... 19.................... which was received by the defendants on.................... 19.................... 4. That cause of action arose on.................... 19.................... when thedefendants terminated wrongfully the services of the plaintiff and secondly on .................... 19.................... when the defendants received the notice of the plaintiff, but did not comply the terms of it. 5. That the suit is valued at Rs..................... the amount of damages and court fee is paid thereon.  RELIEF CLAIMED: The plaintiff claims payment of Rs..................... as damages from the defendant and interest thereon from the date of filing 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/-)

  • INTERPLEADER SUIT

    INTERPLEADER SUIT 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. Before the date of the claims hereinafter mentioned.................... deposited with the plaintiff (describe the property) for (safe keeping). 2. The defendant.................... claims the same (under an alleged assignment thereof to him from.................... ). 3. The defendant.................... also claims the same (under an order of.................... transferring the same to him). 4. The plaintiff is ignorant of the respective rights of the defendants. 5. He has no claim upon the said property other than for charges and costs, and is ready and willing to deliver it to such persons as the Court shall direct. 6. The suit is not brought by collusion with either of the defendants. 7. The cause of action arose on.................... 19.................... when the defendant No. 1 claimed the property as assigned to him, and this Court has jurisdiction to try the suit. 8. The suit is valued at Rs..................... the market value of the property, and Court fee is paid thereon. RELIEFS CLAIMED: The plaintiff claims — (1) that the defendants be restrained, by injunction, from taking any proceedings against the plaintiff in relation thereto; (2) that they be required to interplead together concerning their claims to the said property; (3) that some person be authorised to receive the said property pending such litigation; (4) that upon delivering the same to such person the plaintiff be discharged from all liability to either of the defendants in relation thereto. It is prayed accordingly. 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 DAMAGES FOR ASSAULT AN BATTERY

    SUIT FOR DAMAGES FOR ASSAULT AN BATTERY IN THE COURT OF THE.................... Suit No..................... of 19.................... C. D.................................................................... Plaintiff versus  C. F................................................................. Defendant The abovenamed plaintiff most respectfully submits as under: — That the plaintiff on.................... 19.................... went to the defendant’s press for making a demand of his money borrowed by the defendant. The defendant, when asked for payment of the money borrowed by him, got irritated and abused the plaintiff and caught hold of his shirt collar and pressed it and hurled him out of the press premises. 2. That the plaintiff felt suffocation while his collar of the shirt was caught hold of by the defendant and being pressed to hurl him out of the premises, and then by his hurling the plaintiff, the plaintiff fell on the road on stone and got injuries on his head and chest. 3. That the plaintiff remained in the Nursing Home of.................... at .................... for a week and had to pay Rs..................... as expenses of the nursing and medical treatment. The Bill of the Nursing Home which the plaintiff had to pay to the incharge Doctor thereof is filed herewith. The plaintiff also suffered damage of seven days’ leave without pay when he had to remain in nursing home for medical treatment, which amounts to Rs...................... 4. That the cause of action arose on.................... 19.................... when the plaintiff suffered injuries due to the assault and battery made by the defendant on the plaintiff. 5. That the suit is valued at Rs...................... the damages suffered by the plaintiff for medical treatment and leave without pay and court-fee is paid thereon. RELIEFS CLAIMED: The plaintiff claims the following reliefs: — (1) payment of Rs..................... as damages from the defendant, and (2) interest from date of suit to that of payment of the amount aforesaid with interest. 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/-)

  • Leave and License Agreement

    Leave and License Agreement This Agreement is made at ...... this ...... day of ……......., 2000, between Mr. A hereinafter referred to as 'the Licensor' of the One Part and Mr. B of …………… hereinafter referred to as the 'Licensee' of the Other Part, as follows; Whereas the Licensor is the owner of a piece of land at ………………………………... bearing Survey No ... with a building consisting of …………. floor ...... having built up area of about ..... square feet. And Whereas the Licensee has approached the licensor with a request to allow the Licensee to temporarily occupy and use a portion of the ...... floor of the said building, admeasuring about ...... square feet for carrying on his ...... business, on leave and license basis until the Licensee gets other more suitable accommodation. And Whereas the Licensor has agreed to grant leave and license to the Licensee to occupy and use the said ground floor portion of the said building and which portion is shown on the plan hereto annexed by red boundary line on the following terms and conditions agreed to between the parties hereto; Now it is agreed by and between the parties hereto as follows.. 1.     The Licensor hereby grants leave and license to the Licensee to occupy and use the said portion of the ground floor/....... floor of the said building of the Licensor (hereinafter referred to as the Licensed Premises) for a period of eleven months from ...... The Licensee agrees to vacate the said premises even earlier If the Licensee secures any other accommodation in the locality where the said premises are situated. 2.     The Licensee shall pay to the Licensor a sum of Rs………..... per month (calculated at the rate of Rs………..... per square foot) as License fee or compensation to be paid in advance for each month on or before the ...... day of each month. 3.     All the Municipal taxes and other taxes and levies in respect of the licensed premises will be paid by the Licensor alone. 4.     The electric charges and water charges for electric and water consumption in the said licensed premises will be paid by the Licensee to the authorities concerned and the Licensor will not be responsible for the same. For the sake of convenience a separate electric and water meter if possible will be provided in the said premises. 5.     The Licensee will be allowed to use the open space near the entrance to the Licensed premises and shown on the said plan by green wash for parking cars during working hours of the Licensee and not for any other time and no car or other vehicle will be parked on any other part of the said plot. 6.     The licensed premises will be used only for carrying on business and for no other purpose. 7.     The licensed premises have normal electricity fittings and fixtures. If the Licensee desires to have any additional fittings and fixtures, the Licensee may do so at his cost and in compliance with the rules. The Licensee shall remove such fittings and fixtures on the termination of the license failing which they shall be deemed to be the property of the Licensor. 8.     The licensed premises are given to the Licensee on personal basis and the Licensee will not be entitled to transfer the benefit of this agreement to anybody else or will not be entitled to allow anybody else to occupy the premises or any part thereof. Nothing in this agreement shall be deemed to grant a lease and the licensee agrees and undertakes that no such contention shall be taken up by the Licensee at any time. 9.     The Licensee shall not be deemed to be in the exclusive occupation of the licensed premises and the Licensor will have the right to enter upon the premises at any time during working hours to inspect the premises. 10.  The Licensee shall maintain the licensed premises in good condition and will not cause any damage thereto. If any damage is caused to the premises or any part thereof by the Licensee or his employees, servants or agents the same will be made good by the Licensee at the cost of the Licensee either by rectifying the damage or by paying cash compensation as may be determined by the Licensor's Architect. 11.  The Licensee shall not carry out any work of structural repairs or additions or alterations to the said premises. Only such alterations or additions as are not of structural type or of permanent nature may be allowed to be made by the Licensee inside the premises with the previous permission of the Licensor. 12.  The Licensee shall not cause any nuisance or annoyance to the people-in the neighbourhood or store any hazardous goods on the premises. 13.  If the Licensee commits a breach of any term of this agreement then notwithstanding anything herein contained the Licensor will be entitled to terminate this agreement by fifteen days' prior notice to the Licensee. 14.  On the expiration of the said term or period of the License or earlier termination thereof, the Licensee shall hand over vacant and peaceful possession of the Licensed premises to the Licensor In the same condition In which the premises now exist subject to normal wear and tear. The Licensee's occupation of the premises after such termination will be deemed to be that of a trespasser. IN WITNESS WHEREOF the parties hereto have put their hands the day and year first hereinabove written. Signed by the withinnamed Licensor Shri ................ in the presence of ............ Signed by the within named Licensee Shri ....... in the presence of ......... Download Word Document In English. (Rs.20/-) Download PDF Document In Hindi. (Rs.20/-) Download PDF Document In Marathi. (Rs.20/-)

  • NOTICE OF SUIT UNDER SECTION 80 OF THE CODE OF CIVIL

    NOTICE OF SUIT UNDER SECTION 80 OF THE CODE OF CIVIL PROCEDURE,1908 AGAINST  THE CENTRAL GOVERNMENT A… GUPTA Advocate Ch. No. …, Delhi High Court New Delhi. Ph.011- 2338XXXX REGD A/D / U.P.C. Dated…………………… To The Secretary to the Government of India Education Department Central Secretariat New Delhi Sub: NOTICE UNDER S. 80 OF THE CIVIL PROCEDURE CODE, 1908 Dear Sir, Under instructions from my client……………………an employee in Section…………..of the Department of Education, Central Secretariat, New Delhi I hereby give you notice under S.80 of the C.P.Code and state that my aforesaid client intends to sue the Union of India owing and representing the Department of Education, Central Secretariat, New Delhi after the expiry of two months after the service of this notice unless reliefs claimed herein below are granted to my said client within the said period of two months. The following particulars of the nature of the claim, cause of action and reliefs claimed are given below: (1) Name and descriptionSri……………..son of………….by     of the Plaintiffoccupation…….residing at………. (2) Cause of Action(a) Sri………..was an employee……….section of the                                   department of education, Government of India, Central                                   Secretariat, New Delhi. He has been dismissed from service                                   illegally with effect from………..                                   (b) Sir…………….. was charged falsely for an alleged theft                                   in the office on…………..and charge sheeted and ultimately                                   dismissed from service with effect from……….                                   (c) Cause of action for the suit arose on…………….the date                                   of dismissal. (3) Reliefs sought for(a) Reinstatement of Sri……………………                                   (b) Recovery of salary for the period of………..to…….. Download Word Document In English. (Rs.20/-) Download PDF Document In Marathi. (Rs.20/-)

  • NOTICE BY PARTNER TO OTHER PARTNERS TO DETERMINE PARTNERSHIP

    NOTICE BY PARTNER TO OTHER PARTNERS TO DETERMINE PARTNERSHIP ...........................  ...........................  Date   ....................  TO,   ......................................................  ......................................................  ......................................................  Dear Sir,  I hereby give you notice that I intend to dissolve the partnership as from the ................. heretofore subsisting between the undersigned and you                                 ..................  and ................. and ................. carrying on the business of .................  at .................  in the name and style of M/s ..................................    Yours faithfully,  Partner  Download Word Document In English. (Rs.15/-) Download PDF Document In Hindi. (Rs.15/-) Download PDF Document In Marathi. (Rs.15/-)

  • Notice under section 138 of the negotiable instruments act and section 420 of IPC

    Notice u/s 138 of the negotiable instruments act & sec. 420 of the Indian penal code Advocate Address Party's Name Address Dated Notice (by registered a.d.) To Smt…………………………………………… Madam,                      Under instructions from and on behalf of my client, Shri ……………………………… Mumbai …………, I have to address you as follows : 1. That on account of some acquaintance of my client with your husband, Shri ……….., my client has had occasions to know and meet you. 2. That since you have been running business under the name and style as Everest Tours & Travels, you proposed to expand the said business. 3. That for the said purpose of the expansion of your business, in December 2009, you were in need of more finance, and through the good offices of your husband, you made my client to pay you an amount of Rs. 40,000/-. 4. That taking into consideration the relationship between my client and your husband, my client paid to you an amount of Rs. 40,000/ - in cash, as detailed below: Rs. 40,000/- 5. That at the time of the payment of the said amounts by my client, you had promised him that the amount paid by my client would be repaid and refunded to him within a short time, say within a year or so. 6. That in spite of your promise to return the said amount unto my client, you failed to do so, and at the time of every demand to you, you have only gone to postpone the promises. 7. That with a view to making the repayment of the said amount untomy client, you have finally issued in his favour a cheque bearing No. 048060, dated  15.7.200.., for Rs. 40,000/-, drawn on the Vidya Sahakari Bank Limited, Aundh Road Branch, Mumbai..  8. That when my client presented the said cheque to his bank, Cosmos Cooperative Bank Limited, Laxmi Road Branch, Mumbai, on 15.7.2009, the said Bank returned the said cheque with remarks "Refer to drawer". 9. That in the mean time, your husband had already contacted my client with  a request to re-present the cheque to the Bank, saying that there was no necessary balance in your account and that immediate arrangements would be made so as to clear the cheque in favour of my client. 10. That accordingly my client again presented the said cheque to the Bank for encashment on 25.7.2009, but the said cheque was dishonoured. 11. That from the total behaviour on your part with respect to the said transaction, my client has come to a tacit conclusion that when the Bank of my client has returned the said cheque to my client, while issuing the said cheque, you already had dishonest intention to cheat my client of the said amount,  and it was also a case of "Dishonoured for insufficient balance". 12. That, thus, the cheque which was issued by you in discharge of your liability has been dishonoured for the reason of insufficiency of funds. 13. That since then, my client has been making efforts to contact you personally, but you could not be available anytime anywhere, and hence, my client has come to the final conclusion that you have some ulterior motive to the effect that you are not sincere in making the repayment of the amount taken by you from my client. 14. That from the total behaviour on your part, my client has drawn a clear inference that you have done so with a view to deceiving and cheating my client, and you did not bother either for the dishonourof cheque or then making yourself available immediately. 15. That it also appears that your intentions were not good when you issued the said cheque for the amount which you did not have in your account, and since you knew it very well, you have tried to commit not only a civil breach but also a criminal offence within the provision, meaning and interpretation of civil as well as criminallaw. 16. That since the said cheque has been dishonoured for the reason of "Insufficiency of funds", you may be held liable civilly as well as criminally particularly under section 420 of the Indian Penal Code, section 138 of the Negotiable Instruments Act and provisions of the Code of Civil Procedure. 17. That under the circumstances, you are hereby called upon to pay unto my client an amount of Rs. 40,000/- (Rupees Forty Thousand only) together with interest @ 15% per annum, WITHIN FIFTEEN DAYS from the receipt of this notice, failing which my client will be constrained to take against you an appropriate legal action including filing of a criminal complaint, which please note. That since your illegal behaviour has necessitated the issue of this notice, you are hereby charged with its costs, i.e. Rs. 2,100/-, which also please further note. Yours faithfully,  ADVOCATE. Download Word Document In English. (Rs.30/-) Download PDF Document In Marathi. (Rs.30/-)

  • NOTICE OF EXTRA-ORDINARY GENERAL MEETING ALTERATION OF MAIN OBJECTS

    NOTICE OF EXTRA-ORDINARY GENERAL MEETING ALTERATION OF MAIN OBJECTS  NOTICE is hereby given that the Extraordinary General Meeting of the Company will be held at the registered office of the company at ________, on ________, the ___________, 20__ at ____ a.m./p.m. To consider and, if thought fit, to pass with or without modification the following resolution as: Special Resolution "RESOLVED THAT pursuant to the provisions of Section 17 and other applicable provisions, if any, of the Companies Act, 1956, Clause III (A) of the Memorandum of Association of the Company be and is hereby altered by substituting the existing sub clauses ____________ with the following: 1. ____________________________ 2. ____________________________ RESOLVED FURTHER THAT Mr. ________________________, Director/Secretary of the Company be and is hereby authorized to take all necessary steps to give effect to the said resolution." By order of the Board Secretary/Director Dated the ___________, 20______ NOTES: 1. A member entitled to attend and vote at the meeting is entitled to appoint a proxy to attend and vote instead of himself and proxy need not be a member of the Company. 2. The relative Explanatory Statement, pursuant to section 173(2) of the Companies Act, 1956, in respect of the special business set out above is annexed hereto. ANNEXURE TO NOTICE: EXPLANATORY STATEMENT PURSUANT TO SECTION 173(2) OF THE ACT Item No. 1 The main objects of the Company are confined to the business of ______________________. The Company is facing difficulties in carrying out the business as specified in the Main object clause of the Memorandum of Association of the Company profitably. The Board is of the view that the business proposed to be undertaken by the Company as specified in new substituted sub-clause 1 & 2 can be carried out more efficiently and economically by the Company which has the resources required to undertake the proposed new objects. The Board of Directors recommends passing of the special resolution as contained in item No. 1 of the notice. None of the Directors are in any way interested or concerned in the resolution.  Download Word Document In English. (Rs.20/-)

  • RECEIPT OF TITLE DEEDS BY MORTGAGOR FROM MORTGAGEE

    RECEIPT OF TITLE DEEDS BY  MORTGAGOR FROM MORTGAGEE  I _______________________, S/o_______________________, R/o __________________________ hereby acknowledge that I have received on this ____ day of _____ from  Mr. ______________________, S/o___________________, R/o ___________________________ all the documents of title relating to the property situated at _______ admeasuring ______ sq. yd. That I mortgaged the said property to Mr.__________________________ by a deed of mortgage dated ___ which mortgage has been paid off by me on this day. I have this day paid off the entire outstanding. As nothing is outstanding towards the mortgage amount, Mr._____________________ is returning the documents to me.  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/-)

  • SUIT FOR DAMAGES CAUSED TO THE ARTICLES HIRED

    SUIT FOR DAMAGES CAUSED TO THE ARTICLES HIRED 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 took on hire certain articles of furniture and crockery on.................... 19.................... from the plaintiff, at the occasion of the birth ceremony of his son for one day at the hire of Rs..................... in lump sum, which amount he paid in advance. 2. That when on.................... 19.................... the defendant returned the hired articles some articles were damages and spoiled detailed as under causing the damage noted against each such article: Damage caused 1. 22 tea cups were broken ... ... Rs..................... 2. Two carpets were burned in the middle thereof by fire of bidis ... ... Rs..................... 3. 2 bedsheets were torn ... ... Rs..................... Total damage caused Rs...................... 3. That the plaintiff when on.................... 19.................... checked the articles at his godown where they were returned, found the aforesaid articles damaged as stated above. 4. The plaintiff sent a bill of damages to be paid by the defendant, which the defendant refused to pay on.................... 19.................... 5. That cause of action arose on.................... 19.................... when the plaintiff found the articles damaged, and secondly on.................... 19.................... when the defendant refused to pay the damages, and this court has jurisdiction to decide the suit. 6. The suit is valued at Rs..................... the amount of damages as assessed above and court fee is paid thereon. RELIEF CLAIMED: The plaintiff claims Rs..................... as damages from the defendant with interest from the date of the suit till the 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.30/-) Download PDF Document In Hindi. (Rs.30/-)

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