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- Affidavit of the petition herein-Affidavits-Affidavits under Companies Act and Rules-412
Download Word Document In English. (Rs.40/-) IN THE HIGH COURT OF JUDICATURE OF ………………. AT ……………….. C.M.P. No. ……….. of ………… In C.R.P. No. …………. of ……….. Between : A.B. … Petitioner And C.D. … Respondent Affidavit of the petition herein I, Mr............................................…………………….., S/o. ……………………………………....…........……………, an adult Indian inhabitant, Occupation: ………………………………........…………., residing at …………………………………….……............ District ………………………………………………............, do hereby solemnly state as follows : 1. I am the petitioner herein and am well acquainted with the facts of the case. 2. I submit that the respondent herein who was a landlord of the premises demised to me filed R.C.C. No. ……………………………….. of ………………………….……. on the file of P.D.M. cum Rent Controller, ………………………… seeking eviction on the grounds of wilful default, acts causing wastage and impairmen bonafide requirement and that I was not using the premises for the purpose for which it was letout. 3. I submit that the respondent landlord had infact alleged all these grounds without any substantiation and has infact not come before the Court with clean hands and sought to evict me. I submit that I have put forth my contentions detailedly before the lower Court stating that infact the lease was taken by my father on lease in the month of ………………………….. on a monthly rent of Rs……………. ………… per month with an advance of Rs. ………….…………. and the respondent periodically enhanced the rents upto Rs. …………………………..…………. and when he still sought to chance the rent exorbitantly, for which I protested and for this reason the respondent landlord has sought to evict me basing on frivolous grounds of which were infact a pack of lieu. 4. I humbly submit that the lower Court rightly and elaborately and reasonably has discussed all the points and struckout the R.C.C. …………………………………… stating that the reasons put forth by the respondent landlord of are not true and correct. The lower appellate Court also has concurred with the findings of the lower Court regarding the ground of wilful default, causing impairment to the premises and bonafide requirement of the land lord are false and has struckdown all these three grounds. 5. I humbly submit the lower appellate Court has unreasonably gives an explanation regarding the fourth ground of myself putting use the declared premises for the purpose other than that is letout for the chosen to setaside the lower Courts order has directed me to the premises within …………. months from the date of pronouncement of the order by the lower appellate Court. 6. I humbly submit that I have been using the premises for a non-residential purpose alone and I am not using it for any other purpose. The lower Court based on conguctures and sunrises has parochially has chosen to observe that though I am using it for non residential purpose, it is being used for other purpose then it is actually letout for. Infact, the premises was given only for non-residential purpose and the said premises is being used for non-residential purposes alone. For the reasons stated above, the petitioner herein prays that this Hon'ble Court may be pleased to stay the operation of the order of the learned Principal Subordinate Judge, cum Rent Controller Appellate Tribunal …………………………….……. in C.M.A. No. ………………………… dated ……………….…………. pending disposal of the above C.R.P.. Solemnly affirmed at ……………. on this the …………. day of ………… and signed Deponent Before me Advocate............ MISC. PETITION Under Section 151 CPC IN THE HIGH COURT OF JUDICATURE OF ……………. AT ………………….. C.M.P. No. …………. of …………. in C.R.P. No. ………… of ………….. Between : A.B. … Petitioner And C.D. … Respondent For the reasons stated in the accompanying affidavit, the petitioner herein prays that this Hon'ble Court may be pleased to stay the operation of the order of the learned principal subordinate Judge, cum Rent Controller Appellate Tribunal ……………………..…… in C.M.A. No. ………………..…….. dated ……………………….………. pending disposal of the above Revision petition and pass such other order or orders as deem fit and proper. Place : Dated : Advocate for petitioner
- Affidavit filed by the Caveato-Affidavits-Production of Documents-372.
IN THE HIGH COURT OF JUDICATURE OF ……………. AT …………… Caveat Petition No………….. of 20….. In Appeal No………….. of 20…… Between A.B.............. ........................... … Caveator And C.D........................... ........................... .. Caveatee Affidavit filed by the Caveator I, ....................…….,………………………………...an adult Indian inhabinant, Occupation : ..........…................... and residing at …………………………………………………………… District..........................................................................................., now having temporarily do hereby solemnly affirm and state as follows : I submit that I filed the suit . S.No ……………………………………….………………………… on the file of the ………………………………………………………………………………………........ District …………………………………………………………………………………………………………… for permanent injunction against the Caveatee herein. Pending the suit I filed an application I.A.No ……………………………………………………………………………………….. of ………………………………………………………………………………………………………………... for temporary injunction. The Lower Court granted temporary injunction on ………………………… Inspite of temporary injunction the respondent sought to interfere with my possession and enjoyment. Hence I am constrained to file an application I.A.No ………………………………………………………………………………….…….. for police aid. The Hon'ble ...................................................................... District …………………………………………………………………………………………………… allowed the I.A.No ………………………………………………………………………………….…….. on ……………………………. Against this order the respondent is likely to file a revision petition in this Hon'ble Court. The caveator pray that no Order/intrim injunction the passed in favour of caveatee without serve the caveator the process appeal. Hence it is prayed that the Hon'ble Court may be pleased to direct the proposed petitioner to serve the affidavit petition, grounds and material papers on the caveator's advocate and pass such other or further order or orders as deem fit and proper in the circumstances of the case. Solemnly affirmed at ..................... on this …………….. day of.............. 20...... Deponent Before me Advocate........... CAVEAT PETITION Under Section 148-A of CP.C IN THE HIGH COURT OF JUDICATURE OF ……………. AT ……………… Caveat Petition No……… of 20….. In Appeal No. ………….. of 20…. Between A.B. … Caveator And C.D. … Caveatee The address for service of all notices on the above named caveator is that of his counsel Mr………………… .……………………….and ………………… Advocates, H.No …………… For the reasons stated in the accompanying affidavit the caveator herein prays that this Hon'ble Court may be pleased to direct the proposed petitioner to serve the affidavit, petition, grounds and material papers on the caveator's Advocate and pass such other or further order or orders as deem fit and proper in the circumstances of the case Place :........... Dated : ............ Advocate for Caveator Download Word Document In English. (Rs.30/-)
- Affidavit of ......., the petitioner herein-Affidavits-Miscellaneous-431
Download Word Document In English. (Rs.50/-) IN THE HIGH COURT OF JUDICATURE OF …………. AT ………. C.M.P. No……….. of …….. 20……….. in C.R.P. SR. No………… of 20…….. Between : …………………….. …………………… … …Petitioner/Petitioner and …………………….. ……………………. …. Respondents/Respondents Affidavit of …………….., the petitioner herein I, ……………………………………………………………, S/o………………………………….. ……..…………, Hindu, aged about ……………………………….……… years, Occupation :………………………………………….. residing at ………………………………..…………, do hereby solemnly and sincerely affirm and state on oath as follows : 1. That I am the petitioner herein and also in the above C.R.P. and as such I am well acquainted with the facts of the case. 2. I crave the leave of this Hon’ble Court to read the contents of the Grounds of Revision Petition as part and parcel of this affidavit. 3. I submit that C.M.A. No…………………………. on the file of the Court of the District Judge, …………….………., was dismissed for default on ……………….….. Unfortunately since I am residing at house No…………..………….., there is some communication gap. I also submit that however I filed an application for restoration of the said C.M.A. alongwith an application to condone the delay of …….. days. It is humbly submitted that since I was undergoing treatment I could not approach my counsel and accordingly I had explained the delay. 4. I further submit that unfortunately on ……………………..……. I.A. No……………….……… was dismissed for default and there was no communication in this regard till the month of……………………… when I went to attend a Marriage at …………………………. It is also submitted that I filled copy application and obtained certified copy and had approached the Advocate to present the Civil Revision petition against both the orders. It is also submitted that my absence on the relevant dates and the delay in filing the C.R.P. is due to my ill-health, ill-health of my daughter who was suffering from chronic disease and was hospitalized for more than thrice and due to my shifting to …….. because of which there was communication gap. 5. I also submit that I filed a suit O.S.No . …………….………….. on the file of the Court of the District Munsif, …………………….…………., for partition and I also filed I.A.No ……………….. ………. seeking appropriate directions which was allowed directing the respondents to deposit Rs. …………………..…… per month. Aggrieved by the same, the respondents filed C.M.A………………………….….. on the file of the Court of the District Judge, ………., wherein the order was partly modified directing the respondents, to deposit Rs. ……….. per month and aggrieved by the same the respondent preferred C.R.P.No …………………………... on the file of this Hon’ble Court which was ultimately dismissed. Thus the direction to pay Rs……………… ………. per month became final but unfortunately the respondents had not complied with the said directions and consequently I filed an application I.A.No ………………………….… for appointment of Receiver which was erroneously dismissed and as well as the said order. I preferred C.M.A. No…………………… on the file of the Court of the District Judge, ……………………..…. which was dismissed on ……………..…… I humbly submit that since I was not doing well and I was undergoing treatment I filed an application for restoration alongwith an application I.A.No ……. for condoning the delay and the said application was also dismissed for default. Since I am preferring the C.R.P. against both the orders, I also humbly submit that for the reasons stated above the delay in presenting the above C.R.P. is to be condoned. 6. I also further submit that in the interests of Justice, since the 1st respondent is changing the tenants and therefore the 1st respondent may be directed to deposit Rs. …….. per month atleast from the month of ……….. i.e., the date of the order in C.M.A.No ………. on the file of the Court of the District Judge,……….. Under these circumstances, it is just and necessary in the interests of Justice, that this Hon’ble Court may be pleased : (i) To condone the delay of …………… days in filing the above C.R.P. before this Hon’ble Court; (ii) To direct the 1st respondent to deposit Rs. ………… per month from ……….. onwards in pursuance of the orders passéd in C.M.A. No………… dated on the file of the Court of the District Judge, ………… as confirmed in C.R.P. No………., dated …………, on the file of the Court of this Hon’ble Court, pending the disposal of the above C.R.P. ; and pass such other and further order or orders as this Hon’ble Court may deem fit and proper in circumstances of the case, as otherwise I will be put to irreparable loss, grave suffering, great hardship, heavy injury and serious loss. Deponent Before me Solemnly and sincerely affirmed at ………….. on this the ………….. of ……. …… and signed his name in my presence Advocate, …………… MEMORANDUM OF CIVIL MISC. PETITION (Under Section 5 of the Limitation Act) IN THE HIGH COURT OF JUDICATURE OF ……………… AT……………. C.M.P. No……….. of …….. 20……….. in C.M.A. No………… of 20…….. Between : …………………… … …Petitioner/Petitioner And ……………………. …. Respondents/Respondents For the reasons and in the circumstances stated in the accompanying affidavit, the petitioner herein prays in the interests of Justice, that this Hon’ble Court may be pleased to condone the delay of ………… days in filing the above C.R.P. before this Hon’ble Court, 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 Petitioners MEMORANDUM OF CIVIL MISC. PETITION (Under Section 151 C.P.C.) IN THE HIGH COURT OF JUDICATURE OF ……………… AT ……………. C.R.P. No……….. of …….. 20……….. Between : …………………… … …Petitioner/Petitioners and ……………………. …. Respondent/Respondent That for the reasons stated in the Affidavit herewith filed it is prayed that this Hon’ble Court may be pleased to direct R1 to deposit Rs. …………………..…/- per month from …………………….. onwards in pursuance of the orders passed in C.M.A.No …………………..…. dt…………………………. on the file of the Court of the Dist. Judge, ………………………………. as confirmed in CRP No……………………. dt…………………. on the file of the court of the Hon’ble Court, pending the disposal of the above CRP and pass such suitable orders. Advocate for Petitioner
- Affidavit Regarding Non Ownership Of Alleged Business
Affidavit Regarding Non Ownership Of Alleged Business BEFORE THE ___________________ Affidavit of Mr…………………………………….……. aged ______________________________years s/o …………………………………………………………… Resi _________________________________ I, the above name deponent solemnly affirm and state under: 1. That the deponent is the partner of the firm M/s _______________________________ at ________________ , and hence is fully conversant of facts deposed below. 2. That the deponent is carrying on business of supply of electrical goods to the electricity department since the firm came into existence. 3. That there is report against the deponent that he is carrying on business of trading electrical goods at ______________,under the name and style of the firm above named that at _________________ no doubt there is a firm of the same name and style but it does not belong to the deponent but it belongs to Mr. _______________________________. A confirmatory letter to this effect is enclosed herewith as Annexure A. 4. That the file of the ____________ firm does not belong to the deponent and should be separate. Deponent VERIFICATION I, …………………………………………………….……….., do hereby verify that the contents of this affidavit from paras 1 to 4 are true to the best of my knowledge and belief. Nothing material has been concealed. Dated…………… Deponent Download Word Document In English. (Rs.20/-) Download PDF Document In Marathi. (Rs.20/-)
- Affidavit with the application for appointment of a guardian ad litem of a minor defendant-Affidavits-Miscellaneous-1990
AFFIDAVIT WITH THE APPLICATION FOR APPOINTMENT OF A GUARDIAN AD LITEM OF A MINOR DEFENDANT In the Court of Civil Judge . ............... Suit No ……………………… of ………………………. A...................... Plaintiff v B ................... . Defendant Affidavit of A, son of …………………………..…… aged about………………………years resident of ………………………………………….................. I, A, son of……………………aged about………………..years, solemnly affirm and state as under: That I am the plaintiff in the abovementioned suit and as such fully acquainted with the facts deposed to below. That the defendant Shri…………..…………………s/o late Shri …………………….. aged about ...............is a minor and his father and mother have died and no guardian has been appointed or declared by any court or any authority. 3. That the defendant lives in the care of his elder brother Shri ……………….and is a fit person to be appointed as the guardian of the said Shri ........................ 4 That the said Shri……………………… has no interest in the controversy adverse to that of the defendant Shri…………………………….in this suit. Deponent Verification I, the above named deponent, do hereby verify that the contents of paragraphs 1 to 4 of this affidavit are true to my personal knowledge and nothing has been concealed and no part of it is false. So help me God. Verified at……………………………this………………..day of …… Download Word Document In English. (Rs.20/-)
- Criminal Complaint Affidavit
Criminal Complaint Affidavit Criminal Complaint Under Section _________ Negotiable Instruments Act read with section _________ of the Act & Under Section _________ I.P.C. AFFIDAVIT I, _________ S/o _________ R/o _________, District _________ do hereby solemnly affirm and declare as under:- 1- That the deponent _________. 2- That after _________. 3- That _________. 4- That the deponent presented _________. 5- That at the time _________. 6- That the deponent _________. 7- That deponent _________. Deponent VERIFICATION : Verified that the contents of my above affidavit are true and correct to best of my knowledge and belief and nothing has been concealed therein. Verified at _________ on___________ Download Word Document In English. (Rs.15/-)
- Affidavit-3-Affidavits-Miscellaneous-360
AFFIDAVIT Affidavit is a Latin word. Affidavit is a declaration as to the facts, made in writing, sworn before a person having authority to administer an oath. Generally, interlocutory applications such as an application for attachment before judgement, interim injunction, appointment of a court receiver, etc. are supported by and decided on the basis of affidavits. The word "affidavit" simply means a declaration made on in writing; a written statement, made on oath, to be used as legal proof. AFFIDAVIT I, Shri_______________________ A B .C , age 35 years, occupation - service, resident of 1250 Deccan Gymkhana, Pune 411 004, do hereby state on solemn affirmation as follows : 1. That was born at _________on __________________________ 2. That I passed my SSC Examination from the Maharashtra StateBoard of Secondary Education, Pune Division, in March 3. That I passed my HSC Examination from the Maharashtra StateBoard of Higher Secondary Education, Pune Division, in March 4. That I was graduated from the University of Pune in the year In the Faculty of Arts/Commerce/Science. 5. That I joined the Government service in the Public Works Departmentas an Assistant, on ; 6. That I already completed the Diploma in Computer Technologyconducted by the Maharashtra State Board of Technical Examinations,Mumbai, in the year WHATEVER stated above is true and correct to the best of my knowledge and belief, and so I have signed hereunder at Pune this____day of 200_ Sd/- ABC AFFIANT I know the Affiant. Sd/-xXx ADVOCATE Download Word Document In English. (Rs.15/-)
- Affidavit-3-Affidavits-Miscellaneous-360
AFFIDAVIT Affidavit is a Latin word. Affidavit is a declaration as to the facts, made in writing, sworn before a person having authority to administer an oath. Generally, interlocutory applications such as an application for attachment before judgement, interim injunction, appointment of a court receiver, etc. are supported by and decided on the basis of affidavits. The word "affidavit" simply means a declaration made on in writing; a written statement, made on oath, to be used as legal proof. AFFIDAVIT I, Shri_______________________ A B .C , age 35 years, occupation - service, resident of 1250 Deccan Gymkhana, Pune 411 004, do hereby state on solemn affirmation as follows : 1. That was born at _________on __________________________ 2. That I passed my SSC Examination from the Maharashtra StateBoard of Secondary Education, Pune Division, in March 3. That I passed my HSC Examination from the Maharashtra StateBoard of Higher Secondary Education, Pune Division, in March 4. That I was graduated from the University of Pune in the year In the Faculty of Arts/Commerce/Science. 5. That I joined the Government service in the Public Works Departmentas an Assistant, on ; 6. That I already completed the Diploma in Computer Technologyconducted by the Maharashtra State Board of Technical Examinations,Mumbai, in the year WHATEVER stated above is true and correct to the best of my knowledge and belief, and so I have signed hereunder at Pune this____day of 200_ Sd/- ABC AFFIANT I know the Affiant. Sd/-xXx ADVOCATE Download Word Document In English. (Rs.15/-)
- Affidavit-2-Affidavits-Miscellaneous-359
AFFIDAVIT Affidavit is a Latin word. Affidavit is a declaration as to the facts, made in writing, sworn before a person having authority to administer an oath. Generally, interlocutory applications such as an application for attachment before judgement, interim injunction, appointment of a court receiver, etc. are supported by and decided on the basis of affidavits. The word "affidavit" simply means a declaration made on in writing; a written statement, made on oath, to be used as legal proof. AFFIDAVIT I, Shri A B .C , age 35 years, occupation - service, resident of 1250 Deccan Gymkhana, Pune 411 004, do hereby state on solemn affirmation as follows : 1. That was born at on 2. That I passed my SSC Examination from the Maharashtra StateBoard of Secondary Education, Pune Division, in March 3. That I passed my HSC Examination from the Maharashtra StateBoard of Higher Secondary Education, Pune Division, in March 4. That I was graduated from the University of Pune in the year In the Faculty of Arts/Commerce/Science. 5. That I joined the Government service in the Public Works Departmentas an Assistant, on ; 6. That I already completed the Diploma in Computer Technologyconducted by the Maharashtra State Board of Technical Examinations,Mumbai, in the year WHATEVER stated above is true and correct to the best of my knowledge and belief, and so I have signed hereunder at Pune this____day of 200_ Sd/- ABC AFFIANT I know the Affiant. Sd/- xXx ADVOCATE \ Download Word Document In English. (Rs.20/-)
- Affidavit filed under rent control act-Affidavits-Miscellaneous-425
IN THE COURT OF THE HOUSE RENT CONTROL ACT-CUM PRINCIPAL DISTRICT MUNSIFF COURT ………………. I.A…………….. of 20…… in R.C.C………… of 20……. Between : …………………. ………………… … Petitioner and ………………… ……………….. …. Respondent PETITION FILED ON BEHALF OF PETITIONER UNDER SECTION 11 OF THE RENT CONTROL ACT For the reasons stated in the accompanying affidavit it is prayed that the Hon’ble Court may be pleased to pass order prohibiting the respondent from contesting the petition and order eviction in the ends of justice. Advocate for petitioner IN THE COURT OF THE HOUSE RENT CONTROL ACT-CUM PRINCIPAL DISTRICT MUNSIFF ……………….. I.A……………… 20..…. in R.C.C………… of 20……. Between : …………………. ………………… … Petitioner and ………………… ……………….. …. Respondent Affidavit of petitioner I, ………………………………………………………………………….… S/o…………………………………………………………….……, aged about …………. years, Hindu, Landlord, ………………………………………………………………………………………….. do solemnly affirm and state as follows : (1) I am the petitioner herein and know the facts of the case. (2) I have already filed the Xerox copies of the rent receipts. I have mentioned adoption deed in my petition. I have also mentioned D-Pharma certificate. I am filing the said documents into Court. They are material for a just decision. The delay is not intentional. (3) I, therefore, pray that the Hon’ble Court may be pleased to condone the delay in filing documents in the ends of justice. Deponent Before me Advocate, Hyderabad Solemnly and sincerely affirmed at ………….. on this the ………….. of ……. …… and signed his name in my presence IN THE COURT OF THE HOUSE RENT CONTROL ACT-CUM PRINCIPAL DISTRICT MUNSIFF COURT……………….. I.A……………… 20……. in R.C.C………… of 20……. Between : …………………. ………………… … Petitioner and ………………… ……………….. …. Respondent PETITION FILED ON BEHALF OF THE PETITIONER UNDER ORDER 13 RULE 2 AND SECTION 151 C.P.C. For the reasons stated in the accompanying sworn affidavit it is prayed that the Hon’ble Court may be pleased to condone the delay in filing documents in the ends of justice. List of Documents 1. Rent receipt book. 2. Adoption deed dated …………. 3. D-Pharma Certificate (Xerox copy) with register No………………………………….…. dated…………. 4. D-Pharma Pharmacist registration certificate No…………………………………………. dated…………… Advocate for Petitioner Download Word Document In English. (Rs.30/-)
- NOTICE OF EXTRA-ORDINARY GENERAL MEETING INCREASE OF AUTHORISED SHARE CAPITAL
NOTICE OF EXTRA-ORDINARY GENERAL MEETING INCREASE OF AUTHORISED SHARE CAPITAL 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 ___________, 200__ at ____ a.m./p.m. To consider and, if thought fit, to pass with or without modification the following resolution As a Ordinary Resolution/Special Resolution "RESOLVED THAT the approval of shareholders be and is hereby given to increase the authorised share capital of the company from Rs. ___________/- (Rupees ______________________________) divided into _____________ equity shares of Rs. ___/- (Rupees _____) each to Rs. _________ (Rupees ___________) divided into ________________ equity shares of Rs.___________ ___/- (Rupees _______________________________) each ranking paripassu with the existing equity shares in the Company and that in clause ___ of the Memorandum of Association of the Company for the words and figures "The Authorised Share Capital of the Company is Rs. __________/- (Rupees ________________________) divided into _________ Equity shares of Rs. ___________/- (Rupees ___________________________________________________________) each." The following shall be substituted: "The Authorised Share Capital of the Company is Rs. ____________/- (Rupees _________________________) divided into __________________ Equity shares of Rs. ___/- (Rupees _________) each." By order of the Board Director/Secretary Dated the ____________, 200__________ 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 Board feels that in view of the proposed expansion plans of the Company, the authorised share capital of the Company needs to be increased. 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/-) Download PDF Document In Marathi. (Rs.20/-)
- AUTHORISATION FOR CAR FINANCE
AUTHORISATION FOR CAR FINANCE EXTRACTS OF THE MINUTES OF THE MEETING OF THE BOARD OF DIRECTORS OF THE ___________________ (NAME OF COMPANY) HELD ON _____________ (DATE). IN WHICH THE REQUISITE QUORUM WAS PRESENTED "RESOLVED THAT the Company do take a loan of Rs. _________/- from ______________ Bank, New Delhi for the purchase of ___________________________ which will be for the use of employees/Directors of the Company. RESOLVED FURTHER THAT the said vehicle be hypothecated in favour of the said bank on the terms which are hereby accepted, namely that the loan so advanced by the ____________ Bank shall be repayable in three years time along with interest in equal monthly installments of Rs. _________ /- and shall carry a rate of interest of ___ % on the outstanding amount. RESOLVED FURTHER THAT Sh. __________________, Director of the Company be and is hereby authorised to execute the loan agreement, promissory note, power of attorney, hypothecation deed, post dated cheques and other necessary documents, wherever required in this connection. RESOLVED FURTHER THAT the loan to be availed from ___________ Bank is within the limits of the borrowing powers of Board as contained in the Memorandum and Articles of Association and all borrowings including the proposed loan from __________ bank are within the total limit of paid up capital and free reserves. RESOLVED FURTHER THAT the loan to be availed from _________ bank is within the limits of the borrowing powers of the Company as authorised in the General Meeting of the Company held on ___________." Certified True Copy For (Name of Company) Name and Designation of Signatory Download Word Document In English. (Rs.15/-) Download PDF Document In Marathi. (Rs.15/-)











