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- Application for anticipatory bail UNDER SECTION 438 of the criminal procedure code 1973
Application for anticipatory bail u/s 438 of the criminal procedure code 1973 IN THE COURT OF THE DISTRICT & SESSIONS JUDGE, AGRA Misc. Application No............../2010 Shri A B C ............. ).............Applicant Age 36 years, occupation - social worker,.............) Resident of 235 Parsi Gymkhana,............................)MUMBAI 400 021. Versus The State of Maharashtra..........................................) _ Opponent AN APPLICATION FOR THE GRANT OF BAIL U/S 438 OF THE CRIMINAL PROCEDURE CODE 1973 The applicant above-named submits this application, praying to state as follows: 1. That the applicant is a social worker and active member of the Shiv Sena Party. 2. That the applicant has been serving the cause of society for the last more than twenty-five years. 3. That during the recent by-election to the MUMBAI Municipal Corporation in Ward No. 50, the applicant got elected with a large number of votes against his rival candidate, Shri XYZ, who belongs to the Congress- I Party. 4. That during the election campaign, there were a great many allegations made by the members of both the parties, and the said Congress- I candidate tried his best to make all the malicious attempts with a sole intention to defeat the candidature of this applicant. 5. That the said Congress-I candidate could not withstand his defeat in the election, and since the date of the declaration of the election result on.............the situation as a whole has gone bad to worse. 6. That on or about…………, a person alleged to have been an active member of the Congress-I Party was stabbed, and he died the following day. 7. That the applicant believes that on account of such unhealthy political activities indulged into by the said defeated candidate, some malicious plans and designs have been worked out with an intention so as to implicate this applicant for having committed or concerned with such a non-bailable offence. 8. That the applicant submits that since the date of the declaration of the election result on............., this applicant had gone to Tirupati Balaji on a pilgrimage tour, and when he returned back to the headquarters only yesterday night, he came to know about such an accusation against him, and hence, this application. 9. That the applicant states and submits that he had no concerned with any such offence, if committed by some miscreants, and the contention of this applicant will be explicit from the very fact that this applicant was out of headquarters throughout, and thus, he is innocent, too. 10. That the applicant apprehends that he may be arrested on such an accusation, and hence, this application. 11. That this applicant furthermore submits that if this application is not granted by the Hon'ble Court, flagrant injustice will be done to him for no fault on his part. 12. That the applicant also believes that he will not be deprived of his legitimate and fundamental right. 13. That the proper court-fee is paid herewith. 14. That the applicant, therefore, prays that this application be kindly allowed and orders granting an anticipatory bail be issued in favour of this applicant. MUMBAI,.............Sd/- ABC APPLICANTDated:............... Sd/- xXx ADVOCATE FOR APPLICANT VERIFICATION I, Shri ABC, the present applicant, do hereby state on solemn affirmation that the contents of this application in paras 1 to 14 are true and correct to the best of my knowledge and belief, so I have signed hereunder. Sd/- ABC APPLICANT Download Word Document In English. (Rs.30/-) Download PDF Document In Hindi. (Rs.30/-)
- WARRANT TO ENFORCE THE PAYMENT OF MAINTENANCE BY ATTACHMENT AND SALE
FORM NO. 19 WARRANT TO ENFORCE THE PAYMENT OF MAINTENANCE BY ATTACHMENT AND SALE ( See Section 125) To, (name and designation of the police officer or other person to execute the warrant). Whereas an order has been duly made requiring (name) to allow to his said wife (or child or father or mother) for maintenance the monthly sum of rupees ..........., and whereas the said (name) in willful disregard of the said order has failed to pay rupees ............, being the amount of the allowance for the month (or months) of .......................; This is to authorise and require you to attach any movable property belonging to the said (name) which may be found within the district of ......................., and if within (state the number of days or hours allowed) next after such attachment the said sum shall not be paid (or forthwith), to sell the movable property attached, or so much thereof as shall be sufficient to satisfy the said sum, returning this warrant, with an endorsement certifying what you have done under it, immediately upon its execution. Dated, this ................... day of .............., 20... (Signature) (Seal of the Court) Download Word Document In English. (Rs.15/-) Download PDF Document In Hindi. (Rs.15/-)
- NOTICE TO SURETY OF FORFEITURE OF BOND FOR GOOD BEHAVIOUR
FORM NO. 49 NOTICE TO SURETY OF FORFEITURE OF BOND FOR GOOD BEHAVIOUR ( See Section 446) To, ............. of............. Whereas on the .......................... day of...................20.................... you became surety by a bond for ( name ) of ( place ) that he would be of good behaviour for the period of......................... and bound yourself in default thereof to forfeit the sum of rupees.................... to Government ; and whereas the said ( name ) has been convicted of the offence of ( mention the offence concisely ) committed since you became such surety, whereby your security bond has become forfeited ; You are hereby required to pay the said penalty of rupees................... or to show cause within........................ days why it should not be paid. Dated, this ............................. day of ..................., 20... ( Signature ) ( Seal of the Court ) Download Word Document In English. (Rs.15/-) Download PDF Document In Hindi. (Rs.15/-)
- SURRENDER APPLICATION BY ACCUSED
SURRENDER APPLICATION BY ACCUSED BEFORE THE COURT OF SH...................... ASJ, DELHI/MM........................ In re: - State................................................................................ versus Shichand Kanodia (xxxx)............................................. FIR............................ U/S............................ PS............................ Surrender application on behalf of accused, xxxx Most respectfully showeth: - 1. That petitioner is a convict, convicted by the Hon’ble Court on ........................... 95 u/s 7, 13(2) PCA 1988 with an order to undergo 3 years RI with a fine of Rs. 1000. ID to undergo 3 month RI, of which the fine having been paid/ deposited on the date of sentencing in 1995. 2. That petitioner appealed against the order of conviction to the Hon’ble High Court of Delhi Vide Civil Appeal No........................... 95 in which sentence was suspended pending appeal which was heard on May 2002 confirming the sentence with modification of sentence to undergo one year RI, hence this application for surrender. 3. That judgment and order of confirming the sentence to undergo RI one year is enclosed along with the application. PRAYER It is most respectfully prayed that convict be taken into custody in terms of sentence passed by Hon’ble High Court to serveout one year RI. It is prayed accordingly. Applicant Date: Through Counsel Place: Download Word Document In English. (Rs.15/-) Download PDF Document In Hindi. (Rs.15/-)
- APPLICATION UNDER SECTIOB 317 CR. P. C..
APPLICATION U/S 317 CR. P. C. IN THE COURT OF............................ ADDL. SESSION JUDGE, DELHI In the matter of: - State................................................................................ versus ABC FIR No............................. U/s.................................... PS..................................... Date of Hearing................ Application for exemption from personal appearance. Most respectfully showeth: - 1. That the above case is fixed for hearing today in which applicant is one of the accused. 2. That accused is an asthamatic patient and prone to bad weather since a week, asthamatic conversion at two brief intervals which incapacited him to travel upto the court. 3. That accused is represented by the counsel who has signed the application for representing the accused in question besides the Vakalatnama is in court’s record. PRAYER In the circumstances, it is humbly prayed that the personal attendance of the accused may be exemped or disfinished with and trial may be proceeded in his absence in term of Section 317 Cr. P. C. It is prayed accordingly. Accused Date: Through Counsel Place: Download Word Document In English. (Rs.15/-)
- Writ Appeal Misc Petition under Section 151 of C.P.C..
Writ Appeal Misc Petition under Section 151 of C.P.C. IN THE HIGH COURT OF JUDICATURE OF ……………….. AT …………………… W.P.M.P. No. ….. of ………… in W. P. No. ……….. of ………… Between : A.B. … Petitioner And C.D. … Respondent/Respondents For the reasons and in the circumstances stated in the affidavit filed in support of the above Writ Petition, the Petitioner herein prays in the interests of Justice, that this Hon'ble Court may be pleased to suspend the operation of the Proceedings Roc. No. …………., dated ………….. issued by the 1st Respondent, pending the disposal of the above Writ Petition and pass such other and further order or orders as this Hon'ble Court may deem fit and proper in the circumstances of the case. Place : ………………. Dated : ……………… Advocate for Petitioner Download Word Document In English. (Rs.15/-) Download PDF Document In Hindi. (Rs.15/-)
- NOTICE TO THE PRINCIPAL OF FORFEITURE OF BOND TO KEEP THE PEACE
FORM NO. 52 NOTICE TO THE PRINCIPAL OF FORFEITURE OF BOND TO KEEP THE PEACE ( See Section 446) To, ( name, description and address ) Whereas on the .......................... day of...........................20............... you entered into a bond not to commit, etc., ( as in the bond ), and proof of the forfeiture of the same has been given before me and duly recorded ; You are hereby called upon to pay the said penalty of rupees or to show cause before me within ______ days why payment of the same should not be enforced against you. Dated, this ............................. day of ..................., 20... ( Signature ) ( Seal of the Court ) Download Word Document In English. (Rs.15/-) Download PDF Document In Hindi. (Rs.15/-)
- WARRANT OF IMPRISONMENT ON FAILURE TO PAY MAINTENANCE
FORM NO. 18 WARRANT OF IMPRISONMENT ON FAILURE TO PAY MAINTENANCE ( See Section 125) To, The Officer in charge of the Jail At………………………………….. Whereas (name, description and address) has been proved before me to be possessed of sufficient means to maintain his wife (name) or his child (name) or his father or mother (name), who is by reason of (state the reason) unable to maintain herself (or himself) and to have neglected (or refused) to do so, and an order has been duly made requiring the said (name) to allow to his said wife (or child or father or mother) for maintenance the monthly sum of rupees ........; and whereas it has been further proved that the said (name) in wilful disregard of the said order has failed to pay rupees.........., being the amount of allowance for the month (or months) of ..............; And thereupon an order was made adjudging him to undergo imprisonment in the said Jail for the period of This is to authorise and require you to receive the said (name) into your custody in the said Jail, together with this warrant, and there carry the said order into execution according to law, returning this warrant with an endorsement certifying the manner of its execution. Dated, this .................... day of ..................... 20... (Signature) (Seal of the Court) Download Word Document In English. (Rs.15/-) Download PDF Document In Hindi. (Rs.15/-)
- Application under Section 144, Cr. P.C. for immediate order in cases of apprehended danger
Application under Section 144, Cr. P.C. for immediate order in cases of apprehended danger BEFORE THE HON’BLE COURT OF…………… at ………… Case No. …………… of 20 ……… (Under Section 144, Cr. P. C) District …………. Sri …………… S/o ………………….. R/o …………… P. S. …………. District …………. …………...... … Complainant Versus Sri…………………… S/o …………………….. R/o …………………… P. S. ……………………. District ………… …………..... … Opposite party To The Hon'ble Judge of the aforesaid Court. The humble complainant showeth as under : 1. That the opposite party intends to convene a meeting on ………………. at ………………. Park which is situated at the locality of……….. 2. That in the aforesaid meeting a number of communal leaders who belong to…………….. party, have been intend to deliver their speeches. 3. That the communal speeches of he aforesaid leaders are likely to invite the communal feelings/passions in the residents of the locality which locality is riot prone locality and has witnessed a number of communal riots in past few years. 4. That on the ground of communal harmony and maintenance of law and order a preventive order should be promulgated forthwith PRAYER It is, therefore, most respectfully prayed that the Hon'ble Court may be pleased to pass an immediate order prohibiting the opposite party from holding the aforesaid meeting on………………. at ……………….. for the period as it deems fit. Complainant or his Advocate Download Word Document In English. (Rs.20/-)
- Application for Drawing up proceedings under Section 110, Cr. P.C.
Application for Drawing up proceedings under Section 110, Cr. P.C. BEFORE THE HON'BLE COURT OF………………….. Case No. …………… of 20…… (Under Section 110 of Cr.P.C.) District………………… Sri…………………. S/o……………….. R/o.……………………… P.S.………………. District ……………. ……….… … Applicant Versus Sri……………………….. S/o……………….. R/o…………………… P.S .………………. District ………… ………….… …O pposite Party To The Hon'ble Judge of the aforesaid Court. The humble applicant most humbly showeth as under: 1. That the applicant is an old person residing within the jurisdiction of this Hon'ble Court. 2. That the opposite party is a person of disreputable merits/morals and a menance to the safety of women folk and property of the villagers of the village …………….and to neighbouring villages. 3. That the opposite party arrived in the village of the applicant about ........ months back and since then there have been numerous cases of House breaking by night, theft and kidnapping of female members of the village. During the recent months the wicked activities of the opposite party have increased so much that he had become a source of danger to the locality. 4. That the opposite party also keeps …………. women of law moral with him who, it is reliably learnt, entertain all sorts of unknown persons at night, causing much annoyance to all living closely. 5. That from the acts and misdeeds of the opposite party it appears that he is habitual offender and has committed crimes even in the past as well. PRAYER It is, therefore, most respectfully prayed that the Hon'ble Court may be pleased to hold an enquiry of the conduct of the opposite party and may also be pleased to direct the opposite party to execute a bond with sureties for the good behaviour. Date ……………… Applicant * Download Word Document In English. (Rs.20/-) Download PDF Document In Hindi. (Rs.10/-)
- MAGISTRATE’S ORDER TO PREVENT OBSTRUCTION, RIOT, ETC.
FORM NO. 24 MAGISTRATE’S ORDER TO PREVENT OBSTRUCTION, RIOT, ETC. ( See Section 144) To, (name, description and address). Whereas it has been made to appear to me that you are in possession (or have the management) of (describe clearly the property), and that, in digging a drain on the said land, you are about to throw or place a portion of the earth and stones dug-up upon the adjoining public road, so as to occasion risk of obstruction to persons using the road; or Whereas it has been made to appear to me that you and a number of other persons (mention the class of persons) are about to meet and proceed in a procession along the public street, etc., (as the case may be) and that such procession is likely to lead to a riot or an affray; or Whereas, etc., etc., (as the case may be); I do hereby order you not to place or permit to be placed any of the earth or stones dug from land on any part of the said road; or I do hereby prohibit the procession passing along the said street, and strictly warn and enjoin you not to take any part in such procession (or as the case recited may require). Dated, this ........................... day of ...................., 20... (Signature) (Seal of the Court) Download Word Document In English. (Rs.15/-) Download PDF Document In Hindi. (Rs.15/-)
- Stay Application in Writ Petition
Stay Application in Writ Petition IN THE HIGH COURT OF JUDICATURE AT …………….. Criminal Misc …………. (Stay) Application No……….. ... of ……….. (Under Section 422, C.P.C.) District……………… Sri…………………… S/o ………………… R/o ………………………. P. S. ……………………………. District …………… ………........ … Applicant/Applicants In Criminal Misc. Writ Petition No. …………………of…….. (Under Article 226 of the Constitution of India) District …………… ..................... … Petitioners Versus .................... I … Respondents To The Hon’ble Chief Justice and his other companion Judges of the aforesaid Court. The humble application of the above named applicants most respectfully showeth : 1. That an F.I.R. has been lodged against the applicants under Section 498-A/ 494, I.P.C. at P. S………………. city, and the same has been registered as Crime No. …………… of 20…… The investigation is being made. 2. That the F.I.R. as well as the investigation of the case are liable to be quashed. Full facts are given in the accompanying writ petition which may kindly be looked into. PRAYER It is, therefore, respectfully prayed that the Hon'ble Court be pleased to direct that pending the disposal of the Writ Petition of the applicants, the arrest of the applicants in Crime No…………….. of 20 …….. P. S. …………………..... under Section 498/494, I.P.C. be stayed. The Hon'ble Court may grant such other and further relief which under the circumstances of the case the Hon'ble Court may deem fit and proper. Dated …………… Advocate for the Applicants Download Word Document In English. (Rs.15/-) Download PDF Document In Hindi. (Rs.15/-)














