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  • SUIT FOR DAMAGES AND FOR WAGES BY A SERVANT

    SUIT FOR DAMAGES AND FOR WAGES BY A SERVANT 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 employed by the defendant as his typist on a monthly salary of Rs...................... on.................... 19..................... for his office at..................... 2. That the plaintiff was given appointment letter dated.................... 19.................... to the effect abovenamed. 3. That the plaintiff is a young unmarried lady of high caste Brahman family of Punjab, and the defendant belongs to a Scheduled Caste family and is married. He wanted to black mail the plaintiff to keep her as his concubine under the colour of a clerk, and for that he began to disturb her modesty under one make belief or the other, which the plaintiff did not like and flatly objected to his mischiefs. 4. That thereafter on.................... 19.................... the defendant accused the plaintiff of stealing his money from his drawer and under that accusation he terminated the services of the plaintiff, without paying her salary for last month, i. e., the month of.................... 19.................... 5. The defendant also made a false report to the Police, for which the plaintiff was prosecuted, but later on discharged on finding the accusation to be baseless, on .................... 19..................... 6. The plaintiff has suffered a damage in her reputation for Rs..................... as she has been degraded in the esteem of the relations and acquaintances of her and the general public. 7. That cause of action arose on.................... 19.................... when the plaintiff was wrongfully terminated by the defendant after misbehaving many a time with her disturbing her modesty, and blaming her for committing theft of his money, and secondly when the defendant falsely accused the plaintiff of theft; and this Court has jurisdiction to try the suit. 8. That the suit is valued at Rs...................... the damages for defamation and malicious prosecution and one month’s salary. Court fee is paid thereon. RELIEFS CLAIMED: The plaintiff claims the following reliefs: (1) payment of Rs..................... from the defendant; (2) interest on the aforesaid amount from the date of filing the suit till payment of the amount aforesaid. 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 CAUSED BY THE DEFENDANT’S CATTLE TO THE CROP OF THE PLAINTIFF

    SUIT FOR DAMAGES CAUSED BY THE DEFENDANT’S CATTLE TO THE CROP 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 defendant is a dairy farmer and keeps about two dozen buffalloes but keeps no farm of agricultural plots. He grazes his buffalloes on the road side. The plaintiff has his fields about a furlong away interior to the Highway. 2. That on.................... 19.................... the buffalloes about a dozen in number strayed to the field No..................... of the plaintiff in the village.................... and caused damage to his wheat crop. The crop was destroyed as partly grazed, and partly trampled and caused loss of value of the crop of Rs..................... /-, being Rs..................... /- per bigha. 3. That cause of action arose on.................... 19.................... when the cattle caused damage and this court has jurisdiction to decide the suit. 4. That the suit is valued at Rs..................... /- the amount of damage caused and court-fee is paid accordingly. RELIEF CLAIMED: The Plaintiff claims payment of Rs...............,..... /- from the defendant as damages caused by the defendant’s cattle and interest from date of suit till payment of the damages aforesaid. 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/-)

  • Form of a notice to the drawer

    Form of a notice to the drawer To Mr………………………….. …………………………….. ……………………………. Dear Sir, On behalf of our Client, M/s……………………….. having their registered office at…………….. we have to serve you with the following legal notice under section 138 (read with section 141 in case of a company) of the Negotiable Instruments Act, 1881. Our client states that you had placed an orders dated………….. to buy electronic goods from our client, and  as per your order our client sold, supplied and delivered  the goods as per your instructions to your……………… (Office) on…………….. and the delivery challans were signed by you in token of having received the goods. OR Upon request made by you our clients lent you Rs…………………. (Rupees……………….) on………. receipt of which you acknowledged the debt vide your Receipt No…………… dated…………. giving details about the debt, interest and payment thereof at appropriate future date. 1. To fulfill your liability towards supply of goods/payment of debt, you issued a cheque  No…………. dated …………. drawn on……………… (Bank) for Rs……………… in our clients favour. The said cheque was presented in our clients bank on …………………………. upon inquire regarding honour of the said cheque, our client shocked and surprised that said cheque was return unpaid by your bank along with Bank Memo dated………….., for the reason “refer to drawer”  2. Under the circumstances, we hereby called upon you to make payment to our client an amount of Rs………….. covered under dishonoured cheque within 15 days of receipt hereof, failing which,  we shall be constrained to take legal action against you under the provisions of sections 138 to 142 of the Negotiable Instruments Act, 1881 at your entire cost and consequence which you please note.  Yours truly ADVOCATE Download Word Document In English. (Rs.15/-)

  • SUIT FOR CONTRIBUTION BETWEEN CO-MORTGAGORS

    SUIT FOR CONTRIBUTION BETWEEN CO-MORTGAGORS 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 and the defendant purchased..................... Bighas land of Bhumldharl Khata No..................... of Village.................... Tahsil.................... District.................... on.................... 19.................... from..................... who claimed himself to the owner of the said land on the basis of a will left by.................... deceased in whose name the khata was entered in revenue records, but the name of the said.................... was not mutated at that date. 2. That on.....:.............. objected before the Tahsildar in mutation proceedings that the will was void, and he also had filed a suit No..................... of.................... in the court of the.................... for cancellation of the will and to be declared that he being the brother of the deceased was entitled to the land left by the deceased. 3. That the suit aforesaid was decreed in favour of.................... and the revenue case for mutation also was dismissed, and the plaintiff had to pay the cost of the suit aforesaid, Rs..................... /- besides. 4. That the cause of action arose on.................... when the decree of .................... was in the suit aforesaid was realised from the plaintiff alone, and this court has jurisdiction to decide the suit. 5. That the suit is valued at Rs........:............ /- the amount of contribution from the defendant claimed, and court fee is paid thereon. RELIEF CLAIMED: The plaintiff claims payment of Rs..................... with interest from the date of filing the suit till payment, 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 CONTRIBUTION BETWEEN CO-JUDGEMENT DEBTORS

    SUIT FOR CONTRIBUTION BETWEEN CO-JUDGEMENT DEBTORS 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 and.................... and.................... defendants are real brothers and had been tenants of house No..................... situate at..................... at a monthly rent of Rs..................... /- per month for the whole house aforesaid, though, however the plaintiff and the defendants had been living in separate portions of the house, and were contributing Rs..................... /- per month each towards the rent of the house. 2. That the plaintiff and the defendants fell in arrears of the house rent and the landlord filed a suit for recovery of the arrears of rent and for their eviction. 3. That the suit No..................... of 19.................... was ultimately decreed and the landlord got the goods of the plaintiff attached and compelled him to satisfy the decree for Rs..................... which the plaintiff alone paid.................... on .................... 19.................... 4. The cause of action for contribution arose on.................... when the plaintiff paid the whole amount of the decree himself alone, and this Court has jurisdiction to decide the suit. 5. The suit is valued at Rs..................... the amount to be realised from the defendants, and court-fee is paid accordingly. RELIEF CLAIMED: The plaintiff claims Rs..................... from each defendant with interest from the date of suit to the date of payment. 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 DELIVERY OF GOODS FOR COMPENSATION AGAINST A FRAUDULENT PURCHASER AND HIS TRANSFEREE WITH NOTICE

    SUIT FOR DELIVERY OF GOODS FOR COMPENSATION AGAINST A FRAUDULENT PURCHASER AND HIS TRANSFEREE WITH NOTICE 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. On the.................... day of..................... the defendant C. F., for the purpose of inducing the plaintiff to sell him certain goods, represented to the plaintiff that (he was solvent, and worth.................... rupees over all his liabilities). 2. The Plaintiff was thereby induced to sell and deliver to C. F. ( ........................................ ) the estimated value of which is.................... rupees. 3. The said representations were false, and were then known by C. F. to be so (or at the time of making the said representations C. F. insolvent and knew himself to be so). 4. C. F. afterwards transferred the said goods to the defendant E. F. without consideration (or who had notice of the falsity of the representation). 5. Cause of action arose within the jurisdiction of this Court on.................... 19.................... when the defendant C. F. got the goods from the plaintiff by misrepresentation and on.................... against E. F. when C. F. transferred the goods to E. F. 6. The suit is valued at Rs..................... the approximate price of the goods delivered under fraud to C. F. and later on to E. F. transferred by C. F. and court fee is paid thereon for recovery of the price of the goods and for issuing mandatory injunction to deliver the goods back to the plaintiff. RELIEFS CLAIMED: The plaintiff claims— (1) delivery of the said goods, or.................... rupees, in case delivery cannot be had. (2) .................... rupees compensation for the detention there of. 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 NOT ACCEPTING GOODS SENT TO DEFENDANT

    SUIT FOR DAMAGES FOR NOT ACCEPTING GOODS SENT TO 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 ordered per his order No..................... of Book No. ..................... on.................... 19.................... to send the Books detailed in the Schedule hereto annexed, per railway parcel, the R. R. to be sent per V. P. P., to ..................... a Representative of the Plaintiff, who is a publisher of law books. 2. The plaintiff sent the goods aforementioned through Railway, and sent R. R. through V. P. P. for Rs...................... but the defendant did not honour the V. P. P. and it returned with a postal note thereon "the addressee not met even after repeated visits. Accordingly the V. P. P. returned unserved and the plaintiff had to call back Railway Parcel and had to pay demurrage and return freight, which amounted to Rs..................... 3. That in transit some books also were damaged causing a loss in their depreciation of Rs..................... to the plaintiff. The whole loss to the plaintiff thus amounts to Rs..................... 4. That cause of action arose on.................... 19.................... when the goods sent by the plaintiff had to be got returned back, the V. P. P. having been not honoured by the defendant, and this Court has jurisdiction to decide the case. 5. The suit is valued at Rs..................... the total amount of the loss as mentioned above, and court-fee is paid therefor. RELIEF CLAIMED: The plaintiff claims payment of Rs..................... as damages from the defendant with interest thereon up to the date of filing the suit and thereafter till payment is made. 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 DELIVERY OF MOVABLES WRONGFULLY DETAINED OR FOR COMPENSATION THEREFOR

    SUIT FOR DELIVERY OF MOVABLES WRONGFULLY DETAINED OR FOR COMPENSATION THEREFOR 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. On the.................... day of.................... 19..................... the Plaintiff owned (or state facts showing a right to the possession) the goods mentioned in the Schedule hereto annexed (or describe the goods), the estimated value of which is .................... rupees. 2. From that day until the commencement of this suit the defendant has detained the same from the plaintiff. 3. Before the commencement of the suit, to wit, on the.................... day .................... 19..................... the plaintiff demanded the same from the defendant, but he refused to deliver them. The cause of action arose with the jurisdiction of this Court on.................... 19.................... when the defendant detained wrongfully the movable of the plaintiff, which are detailed in the Schedule annexed hereto. 5. The valuation of the suit is Rs...................... the approximate price of the goods detained. and court-fee is paid thereon. RELIEF CLAIMED: The plaintiff claims Rs..................... to be paid by the defendant as damages for the detention of goods aforesaid, or the delivery of the said goods. 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 AN INSTRUMENT

    SUIT FOR CANCELLATION OF AN INSTRUMENT 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. The plaintiff purchased a plot of land measuring.................... square yards from defendant.................... on............... 19...............for constructing a house thereon, through a registered sale deed in his favour. 2. The defendant.................... has executed another sale deed in favour of the defendant.................... through another sale deed on.................. 19....................... of the same plot of land aforementioned of which he had executed the sale deed in favour of the Plaintiff as aforesaid and given possession to the plaintiff. 3. That the plaintiff is still in possession of the land aforesaid. 4. That the sale deed executed in favour of.................... is void and inoperative, but however the plaintiff has reasonable apprehension that if the sale deed is left outstanding the defendant.................... may obtain possession of the land per force, and may cause wrongful loss to the plaintiff. 5. The cause of action arose on.................... when the defendant.................... executed another sale deed of the same land aforesaid in favour of the defendant ..................... and this Court has jurisdiction to decide the suit. 6. That the valuation of the suit for the purpose of jurisdiction is Rs. .................... and for purpose of Court fee is Rs..................... and court fee is paid thereon. RELIEF CLAIMED: The plaintiff claims to have the said sale-deed dated.................... 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.15/-)

  • SUIT FOR DAMAGES FOR CONVERTING GOODS ENTRUSTED TO THE DEFENDANT

    SUIT FOR DAMAGES FOR CONVERTING GOODS ENTRUSTED TO 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 plaintiff had to go abroad on.................... 19..................... as such he entrusted his valuable goods to the defendant to be kept in safe custody till his return after two months from..................... The particulars of the goods entrusted are given in the Schedule annexed hereto. 2. That when the plaintiff returned from.................... on.................... 19 ..................... he demanded the goods back from the defendant and the defendant handed over the boxes containing the goods. The defendant being fast friend of the plaintiff, the latter did not check the goods while delivered back but. when he opened the boxes in his house, he found that the clothes and other valuables of foreign make were altogether exchanged by similar goods of inferior quality, which have caused a damage of Rs..................... to the plaintiff. 3. That when on.................... the very day of delivery of the goods the plaintiff complained to the defendant of the exchange and causing damage to the plaintiff, the defendant rebuked the plaintiff and did not abate the exchange and damage caused thereby. 4. That the cause of action arose on.................... 19..................... when the goods of the plaintiff were delivered as exchanged, causing the aforesaid damage, and this court has jurisdiction to decide the matter. 5. That the suit is valued at Rs...................... the amount of damage caused by the defendant by the exchange aforesaid and court-fee is paid thereon.  RELIEF CLAIMED: The plaintiff claims payment of Rs..................... as damages from the defendant and interest thereon from date of 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 FOR ADMINISTRATION ANOTHER FORM

    SUIT FOR ADMINISTRATION ANOTHER FORM 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..................... in the.................... died on the.................... day of .................... By his last will, dated the.................... day of..................... he appointed .................. the defendant and.................... (who died in the testator’s lifetime) his executors, and bequeathed his property, whether movable or immovable, to his executors in trust, to pay the rents and income thereof to the plaintiff for his life; and after his decease, and in default of his having a son who should attain twenty-one, or a daughter who should attain that age or marry, upon trust as to his immovable property for the person who would be the testator’s heir-at-law, and as to him movable property for the persons who would be the testator’s next-of-kin if he had died intestate at the time of the death of the plaintiff, and such failure -of his issue as aforesaid. 2. The will was proved by the defendant on the.................... day of .................... The plaintiff has not been married. 3. The testator was at his death entitled to movable and immovable property; the defendant entered into the receipt of the rents of the immovable property and got in the movable property; he has sold some part of the immovable property. 4. The cause of action arose on.................... the day of death of the testator, within the jurisdiction of this Court. 5. The suit is valued at Rs............... the market value of the properties under administration, and court fee is paid according to the nature of the relief claimed.  RELIEFS CLAIMED: The plaintiff claims: (i) to have the movable and immovable property of.................... administered in this Court, and for that purpose to have all proper directions given and accounts taken; (ii) such further or other relief as the nature of the case may require. 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.20/-) Download PDF Document In Hindi. (Rs.20/-)

  • SUIT FOR DAMAGES FOR USE AND OCCUPATION

    SUIT FOR DAMAGES FOR USE AND OCCUPATION IN THE COURT OF THE.................... Suit No..................... of 19.................... C. D.................................................................... Plaintiff versus  C. F................................................................. Defendant The abovenamed plaintiff executor of the will of XY, deceased, most respectfully submits as under: — 1. The defendant occupied the house No.......................................... by permission of the said X. Y., from the.................... day of.................... 19 ..................... until the.................... day of.................... 19..................... and no agreement was made as to payment for the use of the said premises. 2. That the use of the said premises for the said period was reasonably worth .................... rupees. 3. The defendant has not paid the money. 4. The cause of action arose on.................... 19.................... when the plaintiff’s notice in writing demanding the money for use and occupation as aforementioned was served upon the defendant, and lastly on.................... 19................... when the plaintiff received the reply of the defendant refusing his liability to pay for the amount. This Court has jurisdiction to try the suit. 5. The valuation of the suit for the purposes of pecuniary jurisdiction is .................... rupees and court fees is paid thereon. RELIEF CLAIMED: The plaintiff as executor of X. Y. claims Payment of.................... Rupees from defendant with interest at the rate of.............. % per annum and costs 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.15/-)

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