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- AFFIDAVIT- IN SUPPORT OF APPLICATION FOR THE REGISTRATION OF WILL OF THE TESTATOR, BEFORE HIS DEATH
Precedent No. 86 AFFIDAVIT: IN SUPPORT OF APPLICATION FOR THE REGISTRATION OF WILL OF THE TESTATOR, BEFORE HIS DEATH BEFORE THE SUB-REGISTRAR, In the matter of registration of the WILL executed by Shri ……………………. son of …….resident of……………………………….. AFFIDAVIT of ……., S/o…………………….. , aged about years, residing in and , S/o , aged about years, residing in ……………………………. We, the abovenamed deponents, do hereby solemnly affirm and state as under: 1.That we, the deponents, are the witnesses to the execution of the Will executed by Shri on and as such fully acquainted with the facts deposed to below. 2. That the aforesaid testator Shri executed his last Will on , in our presence. That the testator was healthy and of sound mind at the time of execution of the Will. That the testator executed his Will on of his own free Will. That the testator has signed the Will after reading and understanding its contents in our presence. Sd./ Deponent. Verification Verified at on this the day of , 20 , that the contents of the above affidavit are true and correct to the best of my knowledge, belief and information and nothing material has been concealed therefrom. Sd./ Deponent. Solemnly affirmed and signed before me by the deponent, who is personally known to me, on this the day of ,20 Sd./ Notary. Download Word Document In English. (Rs.30/-)
- AFFIDAVIT- UNDER SECTION 13(1)(i) OF THE HINDU MARRIAGE ACT, 1955 - DISSOLUTION OF MARRIAGE ON THE GROUND OF ADULTERY
Precedent No. 63 AFFIDAVIT: UNDER SECTION 13(1)(i) OF THE HINDU MARRIAGE ACT, 1955 – DISSOLUTION OF MARRIAGE ON THE GROUND OF ADULTERY IN THE COURT OF ADDL DISTRICT JUDGE, H.M.A. Petition No of 20 Petitioner: Vs. Respondents: AFFIDAVIT of , W/o , D/o , aged years, now residing in The deponent abovenamed solemnly affirms and states as follows:— That the deponent is the petitioner in the accompanying petition and being well conversant with the facts and circumstances of the case, the deponent is competent to swear to this affidavit. That the marriage between the deponent and the respondent was solemnised at Delhi, on , as per Hindu rites and ceremonies. That the details laid out in the accompanying petition, with regard to the age, status and place of residence of the petitioner before marriage and at the time of filing this petition, may be treated as part of this affidavit. That the respondent is guilty of committing adultery as the respondent is living with the co-respondent and has failed to return to the matrimonial home. That the petition is not presented in collusion with the respondent. That there has been no unnecessary or improper delay in filing this petition. That there is no other ground why the relief should not be granted. That there have not been any other previous proceedings between the parties. Sd./ Deponent. Verification Verified at on this the day of , 20 that the contents of the above affidavit are true and correct to the best of my knowledge, belief and information and nothing material has been concealed therefrom. Sd./ Deponent. Solemnly affirmed and signed before me by the deponent, who is personallyknown to me, on this the day of ,20 Sd./ Counsel for the deponent. Note: Affidavit to be attested by the appropriate authority prescribed under law. Download Word Document In English. (Rs.20/-)
- Affidavit- Issue of Notice
Precedent No. 2 AFFIDAVIT: ISSUE OF NOTICE BEFORE THE HON'BLE SUBORDINATE JUDGE'S COURT, E.P. No of 20 In O.S. No of 20 Decree-Holder: Vs. Judgment-Debtors: AFFIDAVIT I, ………………………., S/o ,……………………… aged years, General Manager Pvt. Ltd., do hereby solemnly affirm and state as follows:— 1. I am the General-Manager of the Decree-Holder Company. I am well acquainted with the facts of the case stand fully competent and duly authorised to swear to this affidavit on behalf of the Petitioner-decree holder. 2. It is respectfully submitted that the property of the judgment-debtors has already been attached in execution as per the order dated I.A. No of of this Hon'ble Court. The judgment-debtors, inspite of having sufficient means, are deliberately not making payment in discharge of the decree-debt. It was very well possible for them to pay the decretal amount in lump sum had they wanted to do so, but are defaulting deliberately. Therefore, the best possible option to exercise in the present situation would be to bring about the sale of the judgment-debtor's attached property. 3. It is, therefore, just and necessary that this Hon'ble Court may bepleased to bring the attached properties scheduled to the accompanying application to sale by issuing Order XXI, rule 66 notice to them. It is verified that the facts stated above are true to the best of my knowledge, information and belief. Sd./ Deponent Verification I, the abovenamed deponent, verify that the contents of this affidavit are true to the best of my knowledge, belief and as per the information received by me by experts and nothing material has been concealed therefrom. Date: Place: Sd./ Deponent Signed and affirmed before my presence by the abovenamed deponent who personally known to me, on this the day of ,20 Sd./ Counsel for the deponent Note. —Affidavit to be attested by the appropriate authority prescribed under law. Download Word Document In English. (Rs.20/-)
- Affidavit of the petitioner-Affidavits-Production of Documents-383
IN THE HIGH COURT OF JUDICATURE AT …………….. Crl.M.P. No. ……….. of 20…… In Crl. A.No . ……….. of 20……. Between : A.B. … Petitioner And C.D. … Respondents Affidavit of the petitioner I, Mr…..........................................................., Principal, r/o. ………………................…… do hereby solemnly affirm state as follows. 1. I submit that I filed a complaint before the Additional ................................. Magistrates Court, ……………….. dist., which is numbered as ……………………………….……..... The complaint was filed for the offences U/S. ............................... and .............. of I.P.C. on ………………… 3. I submit that unfortunately the learned Magistrate acquitted the accused U/S. .................................. Cr.P.C. on the ground that I was not present on ………………………………. when the case was called. 4. I submit that the Bar Association of ………………………………. dist. boycotted the Courts from ………………. to …………….., and as such my advocate did not ask me to attend the Court or informed the date of hearing. I am herewith enclosing the resolution of the Bar Association for kind perusal, to establish my absence on that date is neither deliberate nor wanton. Subsequently, my advocate advised me to file fresh complaint which I did so on, dt. ………………………..………, but the Hon’ble Magistrate dismissed, the complaint on, dt. ……………………….………. holding that the earlier acquittal on the same set of facts stands as res judicata and dismissed my complaint. I crave leave that the Memorandum of grounds may be read as part and parcel of this affidavit. I submit that the case was not acquittal on merits and as such 2nd complaint lies. I further submit that there was a delay in filling the appeal as my advocate thought that the 2nd complaint lies and he did file ………………….............. complaint, which was dismissed erroneously. Hence, there is a delay of ……………………………….... days in filing the present appeal. 4. It is therefore prayed that this Hon’ble Court may be pleased to condone the delay of ………. days in presenting the appeal. Otherwise, I will suffer irreparable loss and hardship. Deponent Before me Solemnly affirmed at ……………. on this the …………. day of ………… and signed Advocate............. CRIMINAL MISC. PETITION U/S. 5 of the Limitation Act IN THE HIGH COURT OF JUDICATURE AT ……………….. Crl.MP . No. ……….. of ……….. In Crl. A. No. ………. of …………. Between : A.B. .... Petitioner And C.D. … Respondents For the reasons stated in the accompanying affidavit, the petitioner herein prays that this Hon’ble Court may be pleased to condone the delay of (………………….………..) days in presenting the appeal against the order of acquittal of the accused in …......................... on the file of the ..................... Magistrate, ………………. District, and pass such other order or orders as this Hon’ble Court may deem fit and proper in the circumstances of the case. Place : Date : Advocate for petitioner Download Word Document In English. (Rs.30/-)
- AFFIDAVIT- ISSUANCE OF DEATH CERTIFICATE
Precedent No. 83 AFFIDAVIT: ISSUANCE OF DEATH CERTIFICATE BEFORE THE REGISTRAR OF BIRTHS AND DEATHS, Affidavit in an Application for a certificate for Registration No of, 20 AFFIDAVIT of , S/o , Aged …………………. years esiding in ……………………………… The deponent abovenamed hereby solemnly affirms and states as follows:— My mother died a peaceful and natural death on I have already applied for the Certificate of Administration of the estate left behind by my deceased mother as I am her only surviving legal representative. For the purpose of issuing the aforesaid certificate, the Administrator-General of has directed the production of a certificate of death of my deceased mother from the competent authority. The death of my mother has been duly notified to the Registrar. It is, therefore, just and necessary that the Registrar may be pleased to issue a Death Certificate in respect of my mother's death, so that I can produce the same before the aforesaid Administrator-General to obtain the certificate of Administration. Sd./ Deponent. Verification Verified at on this the day of , 20 that the contents of the above affidavit are true and correct to the best of my knowledge, elief and information and nothing material has been concealed therefrom. Sd./ Deponent. Solemnly affirmed and signed before me by the deponent, who is personally known to me, on this the day of ,20 Sd./ Notary. Download Word Document In English. (Rs.20/-)
- AFFIDAVIT- REMOVAL OF A PARTY FROM THE APPEAL
Download Word Document In English. (Rs.60/-) Precedent No. 36 AFFIDAVIT: REMOVAL OF A PARTY FROM THE APPEAL IN THE HON'BLE CITY CIVIL COURT In Appeal No of 20 Appellants: Vs. Respondent: AFFIDAVIT I, ……………………… S/o ……………………….., Aged_____________________ years, Presently and permanently residing in ………………………………………………………………… , do hereby solemnly affirm and declare as follows:— I am the appellant in the appeal referred to above. I am well conversant with the facts and circumstances of the present case and I am competent to swear to this affidavit. It is submitted that my name has been given as appellant No. 2 in the Memorandum of Appeal in the appeal referred to above. However, I never approached or even authorised the counsel for filing any appeal on my behalf nor have I ever executed any vakalatnama in his favour. I have not even authorised my mother (appellant No.1) in this behalf. It is only from the respondent in the appeal referred to above that I came to learn about the filing of the said appeal. There is no denying the fact that I was one of the parties to the suit which was decided against the 1st appellant and me, but I had given up the idea of preferring an appeal against the said decision. I had long conveyed the said idea to the respondent and even to the 1st appellant herein. Most apparently, the 1st appellant continues to nurse feelings of hatred and enmity against the respondent and intends to drag me into the puddle. However, I categorically refuse to accede to such unauthorised and illegal induction. It is most respectfully submitted that I am not at all interested in conducting or prosecuting the appeal which has been filed on my behalf without my consent, knowledge or approval. At the same time, since the 1st appellant is my mother, I don't wish to take any further action to be taken against her for having conducted herself in this manner. In view of the aforesaid circumstances, it is just and necessary that this Hon'ble Court may be pleased to delete my name from the list of parties as prayed in the accompanying application. SdJ Deponent. Verification Verified at on this the day of , 20 that the contents of the above affidavit are true and correct to the best of my knowledge, belief and information and nothing material has been concealed therefrom. SdJ Deponent. Solemnly affirmed and signed before me by the deponent, who is personallyknown to me, on this the day of ,20 SdJ Counsel for the deponent. Note: Affidavit to be attested by the appropriate authority prescribed under law. If possible, prayer should be avoided and removed from affidavits.
- POWER OF ATTORNEY FOR INCORPORATION OF A COMPANY
POWER OF ATTORNEY FOR INCORPORATION OF A COMPANY I, the undersigned promoter of M/S,,…………………,,,,,,,,,,,,,,,,,,,,,,,,, Private Limited (under incorporation), do hereby authorise Mr. ………………………….…….., representative of __________________, having their office at ___________________________. to do the following: 1. To carry out necessary corrections, amendments, changes, additions, alterations, deletions and such other work as may be necessary, in the Memorandum of Association and Articles of Association and other papers/documents filed or to be filed before the Registrar of Companies, New Delhi for the incorporation of the above Company. 2. To make changes amendments, corrections, additions, deletions and alterations in the subscription clause of the Memorandum of Association and Articles of Association of the above. 3. To collect any certificate that the Registrar of Companies may issue. 4. To give any declaration/statement for and on my behalf in respect of the aforesaid. I further agree to ratify and confirm all their acts and deeds. Dated: Place : ___________________ ADDRESS: ____________, __________________ Attested signatures of power of attorney holders: ___________________ WITNESS: 1………………………. 2 …………………… Download Word Document In English. (Rs.20/-) Download PDF Document In Marathi. (Rs.20/-)
- Affidavit filed on behalf of the petitioner-Affidavits-Production of Documents-370
Production of Documents IN THE COURT OF THE FAMILY JUDGE OF ………… Original Petition No …… 20… Between : A.B. … Petitioner And C.D. … Respondent Affidavit filed on behalf of the petitioner I, Mr……………….…………………………………., S/o……………………………………………………..………………………, an adult Indian inhabitant residing at ……………………………………………………………………………………… do hereby solemnly affirm and state as follows : 1. I am the petitioner in the above case and deponent herein. 2. I submit that I have filed a petition for divorce against my wife which is pending before this Hon’ble Court. 3. I submit that the Hon’ble Court was examined on behalf of my evidence PWs ………………….... to ……………………………………………….... and it is coming for further evidence of me. I submit that my father executed a will in favour of my family members and it was mixed with some bundles. Hence I recently traced out. There is willful or wanton delay in filing the present xerox copy of Will Deed. I got fair chance to proceed with case in filing this document. The original Will Deed is filed before the P.D.M. Court, ………………………….. 4. It is therefore prayed that the Hon’ble Court may be pleased to condone the delay in the filling the document of will Deed and pass necessary orders. Or else I will be put serious loss. Deponent Before me Solemnly affirmed at ..................... on this …………….. day of.............. 20...... Advocate................ IN THE COURT OF THE FAMILY JUDGE ……… I.A. No. ……… of ……………. 20 …. In O.P. No. ……….. of ……… 20 … Between : A.B. … Petitioner Vs. C.D. … Respondent Download Word Document In English. (Rs.20/-)
- Affidavit filed on behalf of the petitioner-Affidavits-Affidavits under Companies Act and Rules-410
BEFORE THE DEBT RECOVERY TRIBUNAL AT ………………… O.A. No. …………… of 20…….. Between : A.B. … Petitioner And C.D. … Respondent (s) Affidavit filed on behalf of the petitioner I, Mr.......……………………………………………………., son of ...........................................……………………, I am the manager representing the petition herein and I am well acquainted with the facts of the case. 2. I submit that the respondent is heavily indebted to several 3rd parties and with a view to defeat our claim the respondent is seriously trying to alienate the petition scheduled properties. 3. I submit that we have a strong prima facie case and balance of convenience is in our favour and if respondent is successful in alienating properties it will lead to multiplicity of proceedings. 4. It is therefore prayed that this Hon'ble Court may be pleased to grant an injunction restraining the respondents in any way alienating the petition schedule properties till the disposal of O.A. and pass such other suitable orders Solemnly affirmed at ……………. on this the …………. day of ………… and signed Deponent Before me Advocate............... BEFORE THE DEBT RECOVERY TRIBUNAL AT ……………… M.P. No. ………….. of 20……. O.A. No………… of 20…….. Between : A.B. … Petitioner And C.D. … Respondent. PETITION FILED UNDER SECTION 19 CLAUSE 6 OF RECOVERY OF DEBTS DUE TO BANKS AND FINANCIAL INSTITUTIONS ACT, 1993 1. That for the reasons stated in the affidavit herewith filed it is prayed that this Hon'ble Court may be pleased to grant as temporary injunction restraining the respondent from in any way alienating the petition schedule property pending disposal of O.A. and pass such other suitable order. Advocate for petitioner. Station : ….......... Date : ……....... Download Word Document In English. (Rs.20/-)
- AFFIDAVIT OF CREDITOR OF HIS DEBT DURING LIQUIDATION
AFFIDAVIT OF CREDITOR OF HIS DEBT DURING LIQUIDATION IN THE (HIGH) COURT OF __________________ IN the matter of the Indian Companies Act, 1956 And The matter of the liquidation of ________ Co. Ltd. I, …………………………………………………………………… , Aged……………………………….................................. years, son of _________________________________ , resident of ____________________________ , do hereby on oath /on solemn affirmation state as follows: 1. That the above-named company was on the ____________________ day of ________ , ______ , the date of the order for winding up the same, and still is justly and truly indebted to me in the sum of Rupees _________________________________________________ (Rs in words ) only on account of (describe briefly the nature of the debt). 2. That in proof of the aforesaid debt I attach hereto the documents marked ………………………………………………… 3. That I have not, nor have any person or persons by my order or to my knowledge or belief for my use, received the aforesaid sum of Rupees __________________________ or any part thereof, or any security or satisfaction for the same or any part thereof except the sum or security (state the exact amount of security). 4. That this affidavit is true, that it conceals nothing and no part of it is false AA Signature VERIFICATION I, _____________________________the above named deponent do hereby verify on oath that the contents of the affidavit above are true to my personal knowledge and nothing material has been concealed or falsely stated. Verified at ______ this _____day of ______ DEPONENT Download Word Document In English. (Rs.20/-) Download PDF Document In Marathi. (Rs.20/-)
- Affidavit filed by the Petitioner-Affidavits-Miscellaneous-416
Preliminary IN THE COURT OF THE JUNIOR CIVIL JUDGE OF …………….. I.A. No………………. of 20……. in O.S. No…………….. of 20……… Between : ……………….. ….. Petitioners And ……………….. …..Respondents ( Third Party) Affidavit filed by the Petitioner I, ………..……………………., S/o….……………., Hindu, aged about …………… years, Occupation : ……………………………………………… and residing at ………………………………………………………………………………………………………………………………….. Street ………………………………………………………………………………………………………………………………………………………. District, do hereby solemnly affirm and state as follows : 1. I am the ………………………… party to the above case and I know both the parties to the case. 2. I along with my sisters sold away the land situated in R.S.No . ………………..……………………………….. in an extent of Ac ……………………………….. cents of …………………………………………………………. village to one ……………. about…………… years back till then the said property is in our possession and enjoyment. There is a pathway on the western side of the land the said pathway is the only pathway for the plaintiffs as well as for defendants. The plaintiffs are exercising their right of way in the said pathway since several decades. 3. I know the above facts personally. Hence I am submitting the same to the Hon’ble Court Be pleased to consider, Deponent Solemnly affirmed and signed before me on this ………. day at……… Advocate/Attestor Download Word Document In English. (Rs.20/-)
- Affidavit filed on behalf of the petitioner-Affidavits-Affidavits under Companies Act and Rules-408
IN THE COURT OF ……………….. I.P. No. ………….. of ………….. Between : A.B. … Petitioner And C.D. … Defendant Affidavit filed on behalf of the petitioner I, Mr.........……………………, son of …………………........, an adult Indian inhabitant, Occupation: ………….., residing at ...................……………….., do hereby solemnly affirm and state as follows : 1. I submit that I am the petitioner herein and file the above I.P. to adjudge the respondent as insolvent. I also submit that in the existing circumstances if reasonable security is not given the debtor may disappear and we may not be able to realise any amount from him. 2. It is therefore prayed that this Hon'ble Court may be pleased to direct the respondent to give reasonable security for his appearance until the final orders are passed in the I.P. 3. It is therefore prayed that this Hon'ble Court may be pleased to direct the respondent to give security for his appearance failing which I will be put to serious loss and damage. Solemnly affirmed at ……………. on this the …………. day of ………… and signed Deponent Before me Advocate............. IN THE COURT OF …………….. IA. No. …………. of …………… I.P. No. ………… of …………. Between : A.B. I … Petitioner And C.D. … Defendant PETITION FILED ON BEHALF OF THE PETITIONER UNDER SECTION 21 OF PROVINCIAL INSOLVENCY ACT, 1920. For the reasons stated in the accompanying affidavit herewith filed it is prayed that this Hon'ble Court may be pleased to direct the respondent to give reasonable security for his appearance until final orders and pass such other orders. Advocate for the petitioner. Download Word Document In English. (Rs.20/-)













