Format of Application of Secondary Evidence in Property Recovery Suit
IN THE COURT OF SENIOR CIVIL JUDGE, _____
_____ Versus _____
SUIT FOR RECOVERY
APPLICATION FOR SECONDARY EVIDENCE
The applicant submits as under:-
That the _____ i.e. Defendant No. _____ is the son of borrower namely _____. The father of the defendant No. _____has been expired before filing the recovery suit. The defendant No. _____ inherited the immoveable property and _____ on dated _____. The original sale deed is not in our possession. The original sale deed of _____ which was registered on that day in the Sub Registrar, _____, this property is has been sold by the defendant No. _____ to _____ son of _____, resident of _____. The secondary evidence is necessary to prove the documents. The certified copy of sale Deed is attached herewith
It is, therefore, prayed that the application for secondary evidence may kindly be allowed.
I/we hereby certify that I/we have this day withdrawn all the property belonging to us, stored in locker number _______, key bearing number ____ leased on _______, and that the locker and its key are hereby surrendered in token of termination of the lease.
Formar of Application for Marking Presence of the Complainant
IN THE COURT OF _____
_____ Versus _____
COMPLAINT U/S _____ IPC
APPLICATION FOR MARKING THE PRESENCE OF THE COMPLAINANT
1- That the above noted complaint is pending before this Hon’ble court and ils fixed for today for consideration.
2- That the court file is not traceable and the applicant wants to get marked his presence today before this Hon’ble court
It is therefore, prayed that the presence of the applicant /complainant may kindly be marked and the complaint be adjourned for next date.
Application Under Order _____ Rule _____ C.P.C for impleading the applicant _____ son of/ wife of _____ R/o _____, District _____ in the present suit
1- That the above noted suit is pending in this Hon’ble court and is fixed for _____.
2- That on _____ the plaintiff _____ reached at the suit property and he showed the stay order to the applicant _____ and he stopped the applicant from raising the construction on the suit property.
3- That after the enquiry the applicant has come to know that the plaintiff has filed the above noted suit before this Hon’ble court without impleading the applicant in the above noted suit.
4- That if the applicant is not impleaded as party in the above noted suit then the great prejudice will be caused to the applicant but if _____ is impleaded then no prejudice will be caused to any one.
5- That the impleading of the applicant is necessary for the proper adjudication of the above noted suit.
It is, therefore, prayed that the applicant may kindly be impleaded as defendant in the present suit in the arrays of the parties in the interest of justice.
_____ son of/wife of _____ resident of _____
SUIT FOR PERMANENT INJUNCTION
Application for depositing the fees of _____
In the above noted case the applicant /plaintiffs most respectfully submit as under:-
1- That the above noted case is pending in this Hon’ble court and is fixed for _____.
2- That on the last date of hearing this Hon’ble court appointed _____ as a _____ to report regarding the _____ and this Hon’ble court has fixed fees of the _____/- and the fees will be deposited by the plaintiffs.
3- That the applicants /plaintiff want to deposit the fees of the _____ before this Hon’ble court.
It is, therefore, prayed that the fee of the _____ may kindly be deposited and the local commission may kindly be sent at the spot regarding the _____.
Format of Application for Restoration of Execution Petition
BEFORE THE PRESIDENT DISTRICT CONSUMER DISPUTES REDRESSAL FORUM
_____ Versus _____
COMPLIANT U/S _____ OF _____
APPLICATION FOR RESTORATION OF THE EXECUTION PETITION WHICH DISMISSED IN DEFAULT _____ I.E. ON _____
1- That the case was adjourned for today.
2- That today when the applicant appeared before this Hon’ble Forum then he came to know that due to non compliance of the order dated _____ this Hon’ble Forum dismissed the above noted execution today i.e. on _____.
3- That the applicant will suffer an irreparable loss and injuries if the above-noted execution petition is not restored.
4- That the application is well within time.
It is, therefore, prayed that the above noted execution petition may kindly be restored in its original form in the interest of justice.
Format of Application for Industrial Disputes Salary
BEFORE THE PRESIDING OFFICER INDUSTRIAL TRIBUNAL, CUM LABOUR COURT NO._________
_____ Son of _____, Resident _____
_____, _____ Through its Managing Director _____
APPLICATION UNDER SECTION _____OF THE INDUSTRIAL DISPUTES ACT, _____
It is respectfully submitted as under: –
1- That the respondent appointed the applicant/claimant on _____as _____ and the respondent fixed the salary of the applicant as _____ per month vide their offer letter dated _____. But the applicant/claimant joined her duty on _____ with the respondent.
1- That the applicant/claimant did her duty diligently, regularly and with utmost punctuality sincere, and with full devotion by doing manual job with her own hands in accordance with the well-settled provisions of the law. You issued the offer letter in my name of the applicant/claimant and got printed the visiting cards also in the name of the applicant/claimant.
2- That on _____ when the applicant/claimant went to attend his duty then the respondent abruptly refused to allow to the applicant/claimant to attend his duty and told that services of the applicant/claimant are no more required by them and thus the respondent have terminated the services of the applicant/claimant in a most illegal and unlawful manner without any reasonable rhyme and cause. At the time of termination of the services of the applicant/claimant, the respondent did not pay the salary for the month of _____ and __ days salary for the month of _____ which comes _____/-.
3- That the claimant visited the office of the respondent from _____ to _____ from time to time and spent a huge amount of _____/- on the charges of traveling /conveyance charges but the respondent refused to pay the outstanding amount of _____/-. Lastly on _____ the respondent clearly refused to pay the salary amount of _____/- to the applicant/claimant
4- That you did not provide me statutory benefits i.e. _____ You also did not pay me the salary of _____/- and the amount of bonus etc. to me.
2- That the wages and other dues which are outstanding against respondent are fully mentioned in the _____ enclosed herewith.
3- That the applicant/claimant is entitled to receive all his dues including wages for the months of _____ to _____ from the respondent as annexed in Annexure-A.
It is, therefore, prayed that the application of the applicant may kindly be accepted and order may kindly be passed to make the payment of _____/- with interest to the applicant/claimant which is fully mentioned in Annexure–A.
_____ S/o _____, Resident _____
_____,District Courts, _____
Verified that the contents of my above application from Paras No.1 to 6 are true to best of my knowledge and belief.
Verified at _____ on_________
APPLICATION FOR PUTTING THE CASE FILE FROM THE RECORD ROOM AND ISSUANCE FORM (C
The applicant most respectfully submits as under:-
1- That the above noted petition was decided by this Hon’ble court in favour of the petitioner vide order dated _____.
2- That the respondent No._ has deposited the awarded amount before this Hon’ble court and the petitioner filed an application for issuing the form “C” before this Hon’ble court on _____ but the applicant could not withdraw the amount due to _____ and consequently the file was consigned to the record room.
3- That now the applicant wants to withdraw the amount of award from this Hon’ble court.
It is, therefore, prayed that the amount of award may kindly be ordered to be released to the applicant by issuing form “C”.
Format of Application for Amendment of the Title of the Claim
________ VERSUS ________
APPLICATION FOR CLAIM
1- That the above noted claim application is pending before this Hon’ble court and is fixed for ________.
2- That the respondent No.__ has filed the written statement before this Hon’ble court and has disclosed the name and address of the respondent No.__ ________ Company.
3- That now the applicant /claimants want to amend the title page of the present claim application.
It is, therefore, prayed that the applicant /claimants may kindly be allowed to amend the title page of the present claim application in the interest of justice.