Format of Application for Locker Surrender

Format of Application for Locker Surrender

Birth Certificate Affidavit FormatTo,
________________
______________ Branch

Locker Surrender/Discharge Certificate

I/we hereby certify that I/we have this day withdrawn all the property belonging to us, stored in locker number _______, key bearing number ____ leased on _______, and that the locker and its key are hereby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.

Place:
Date:

(Name & Signature of hirer/s)

Format of Application for Impleading

Format of Application for Impleading

Birth Certificate Affidavit FormatIN THE COURT OF _____

In the matter of:-
_____   Versus   _____

Application Under Order _____ Rule _____ C.P.C for impleading the applicant _____ son of/ wife of _____ R/o _____, District _____ in the present suit

RESPECTFULLY SHOWETH:

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.
Dated: _____

APPLICANT
_____ son of/wife of _____ resident of  _____

Through counsel:
_____ Advocate, _____

Format of Application for Industrial Disputes Salary

Format of Application for Industrial Disputes Salary

Format of Application for Industrial Disputes Salary
Format of Application for Industrial Disputes Salary

BEFORE THE PRESIDING OFFICER INDUSTRIAL TRIBUNAL, CUM LABOUR COURT  NO._________

_____ Son of  _____, Resident _____

      …..APPLICANT/CLAIMANT

VERSUS
_____, _____  Through its Managing Director _____

     …..RESPONDENT

APPLICATION UNDER SECTION _____OF THE INDUSTRIAL DISPUTES ACT, _____

Sir,
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.

Applicant/Claimant

_____ S/o _____,  Resident _____

Through A.R.
_____,District Courts, _____

VERIFICATION:

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_________

      Applicant/Claimant

Format of Application for Issuing Post Mortem Report

Format of Application for Issuing Post Mortem Report
Format of Application for Issuing Post Mortem Report

To,

The C. M. O.,
________, _____

Sub: Application for Issuing Post Mortem Report dated _____ of _____ son of _____, Resident of _____, District _____ to the applicant.

Sir,

The applicant submits as under:-

1. That _____ met with _____ on _____near _____, _____and _____. The Post Mortem Report of the said _____ was conducted at _____ Hospital/Laboratory, _____

2. That the applicant requires the Post Mortem Report of the ____.

It is, therefore, prayed that the Post Mortem Report may kindly be released to the applicant

Dated:________

Applicant
______ S/o _____ R/o ______

Format of Application For Amendment of the Title of the Claim

Format of Application For Amendment of the Title of the Claim
Format of Application For Amendment of the Title of the Claim

________   VERSUS ________

APPLICATION FOR CLAIM

APPLICATION FOR AMENDMENT OF THE TITLE OF THE CLAIM APPLICATION

RESPECTFULLY SHOWETH:

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.

PRAYER:
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.
Dated: __________

APPLCIANTS /CLAIMANTS

Through counsel
________ Advocate, _________

Format of Application for releasing the amount of award to the applicant

Format of Application for releasing the amount of award to the applicant
Format of Application for releasing the amount of award to the applicant

BEFORE THE COMMISSIONER UNDER __________ ACT, CIRCLE – __________

_______________ Vs. ___________

CLAIM PETITION UNDER __________ ACT

RESPECTFULLY SHOWETH:

1-    That the above noted application of compensation was allowed by this Hon’ble court vide order dated ____________in favour of the applicant and against the respondents

2-    That the respondent No.3 ________________________ Limited has been deposited the amount of award amount to the tune of Rs. ___________/-on _____________which is lying with this Hon’ble court.

3-    That the applicant wants to withdraw the above said award amount from this Hon’ble court.
It is, therefore, prayed that amount of award may kindly be released in favour of the applicants.

Dated: __________

                                                                                                                                                                                 Applicant

THROUGH COUNSEL:___________, Advocate, _____________

Application Format For Inspection Of The Case File

Application Format For Inspection Of The Case File
Application Format For Inspection Of The Case File

In the court of _________________________________________________

In the matter of :

___________ Vs.      ___________

CLAIM PETITION

Application For Inspection Of The Case File

Respectfully Showeth:

1-    That the above noted case is _________ before this Hon’ble court and the same is now fixed for ______________

2-    That the applicant wants to inspect the above noted case file today before this Hon’ble court.

It is, therefore, prayed that the application for file inspection may kindly be allowed in the interest of justice.

Dated: _______                                                                                                       Applicant

Through counsel :

____________, Advocate, __________

Application Format for claim of wrong statement

Application Format for claim of wrong statement
Application Format for claim of wrong statement

BEFORE THE PRESIDENT DISTRICT CONSUMER DISPUTES
REDRESSAL FORUM, ____________.

M/S _________________

Versus

M/S _________________

Complaint _____ of the Consumer Protection Act 1986.

Written statement on behalf of Respondents.
Sir,
The respondents respectfully submit as under: –

PRELIMINARY OBJECTIONS:
1- That the complaint of the complainant is not maintainable in the present form because the respondents do not fall under the definition of the consumer.

2- That complainant has no locus-standi to file the present complaint against the answering respondents.

3- That the complainant has no cause of action to file the present complaint against the answering respondents.

4- That the complaint of the complainant is bad for misjoiner of the necessary parties. It is hereby submitted that M/s __________________ at ______ is the necessary party.

5- That the complainant has falsely dragged the complainant in the present false complaint. The respondent delivered the goods at its destination but M/s _________________ did not collect the material from the office of the respondent at Chennai. It is further submitted that it was well settled that the complainant will responsible for packages of the goods and in case of any fault the respondent company is not liable for the same which is also mentioned on the backside of the consignment note. It is further submitted that the complainant company did not packed the cartons properly and the same were loose and straps were not tied properly but the goods were in O.K condition and there was no shortage.

6- That the complainant has not come with clean hands before this Hon’ble Forum and he has suppressed the actual and material facts from this Hon’ble Forum.

REPLY PARAWISE:
1- That the contents of Para No.1 of the complaint are wrong and denied.

2- That the contents of Para No.2 of the complaint are matter of record.

3- That the contents of the Para No. 3 of the complaint are correct to the extent that the complainant company sent _ boxes of ____________ vide consignment Note No. ________ dated ___________. Rest of the contents of this para is wrong and incorrect and the complainant is put strict proof to prove the present para.

4- That the contents of the Para No. 4 of the complaint are wrong and vehemently denied. It is incorrect that the respondents are solely responsible and the complainant is legally entitled to claim the amount from the respondents.

5- That the contents of the Para No. 5 of the complaint are wrong, false, incorrect and hence denied. It is incorrect that there was great deficiency of the service on the part of the respondents. It is submitted that the respondents delivered the goods at its destination at ______ Office and also informed to M/s ________ company who reason best known to him did not collect the material from the site intentionally and deliberately.
Hence there is no deficiency on the part of the respondents.

6- That the contents of Para No. 6 of the complaint are wrong and denied being misconceived.

7- That the contents of the Para No.7 of the complaint are totally wrong and vehemently denied.

8- That the contents of Para No. 8 of the complaint are wrong and denied. It is incorrect that due to deficiency of Service there was mental, harassment, agony and tension to the complainant. It is incorrect that the complainant is legally entitled to claim compensation to the tune of Rs.________/- from the respondent.

9- That the contents of Para No. 9 of the complaint are matter of record.

10- That the contents of Para No. 10 of the complaint are wrong and incorrect.

REPLY TO PRAYER:

That the prayer of the complaint is also wrong and vehemently denied. The complainant is not entitled for any relief.

PRAYER

It is, therefore, prayed that in the interest of justice and in view of the forgoing facts and circumstances the complaint of the complainant may kindly be dismissed with costs.
RESPONDENTS.
Through counsel:
_________, Advocate, ___________.

Format of Application for Witness

Format of Application for Witness
Format of Application for Witness

IN THE COURT OF ________________

__________ VS. ____________

SUIT FOR SPECIFIC PERFORMANCE

Application for summoning the witnesses and
Permission to deposit the expenses of Witnesses.

Sir,

The applicant/plaintiff respectfully submits as under: –

1- That the above noted petition is pending in this hon’ble court and is fixed for ___________. The applicant wants to summon the following witnesses for the date fixed: –

(i) _________________________ with the relevant record of cash order /pay order dated _____________ vide No. ___________ Branch Code _________

(ii) _____________________ with the record of Register of attestation of affidavits dated _______ of Shri __________ Son of Shri ___________, resident of ___________________

(iii) Record keeper of record room lower court with the record of case No. ______ of ____________ Year titled as “_____________ VERSUS ____________” decided on ______________ which was decided by Shri _____________________.

(iv) Shri _______________, Advocate, ________________.

Prayer:

It is, therefore, prayed that the above mentioned witnesses may kindly be summoned for the date fixed and the applicant/plaintiff may kindly be allowed to deposit the expenses of the witnesses before this hon’ble court.

Dated _______ APPLICANT /PLAINTIFF

Through counsel:

________________, Advocate, ___________________

Format of Application for claim of wrong statement

Format of Application for claim of wrong statement
Format of Application for claim of wrong statement

BEFORE THE PRESIDENT DISTRICT CONSUMER DISPUTES
REDRESSAL FORUM, ____________.

M/S _________________

Versus

M/S _________________

Complaint _____ of the Consumer Protection Act 1986.

Written statement on behalf of Respondents.
Sir,
The respondents respectfully submit as under: –

PRELIMINARY OBJECTIONS:
1- That the complaint of the complainant is not maintainable in the present form because the respondents do not fall under the definition of the consumer.

2- That complainant has no locus-standi to file the present complaint against the answering respondents.

3- That the complainant has no cause of action to file the present complaint against the answering respondents.

4- That the complaint of the complainant is bad for misjoiner of the necessary parties. It is hereby submitted that M/s __________________ at ______ is the necessary party.

5- That the complainant has falsely dragged the complainant in the present false complaint. The respondent delivered the goods at its destination but M/s _________________ did not collect the material from the office of the respondent at Chennai. It is further submitted that it was well settled that the complainant will responsible for packages of the goods and in case of any fault the respondent company is not liable for the same which is also mentioned on the backside of the consignment note. It is further submitted that the complainant company did not packed the cartons properly and the same were loose and straps were not tied properly but the goods were in O.K condition and there was no shortage.

6- That the complainant has not come with clean hands before this Hon’ble Forum and he has suppressed the actual and material facts from this Hon’ble Forum.

REPLY PARAWISE:
1- That the contents of Para No.1 of the complaint are wrong and denied.

2- That the contents of Para No.2 of the complaint are matter of record.

3- That the contents of the Para No. 3 of the complaint are correct to the extent that the complainant company sent _ boxes of ____________ vide consignment Note No. ________ dated ___________. Rest of the contents of this para is wrong and incorrect and the complainant is put strict proof to prove the present para.

4- That the contents of the Para No. 4 of the complaint are wrong and vehemently denied. It is incorrect that the respondents are solely responsible and the complainant is legally entitled to claim the amount from the respondents.

5- That the contents of the Para No. 5 of the complaint are wrong, false, incorrect and hence denied. It is incorrect that there was great deficiency of the service on the part of the respondents. It is submitted that the respondents delivered the goods at its destination at ______ Office and also informed to M/s ________ company who reason best known to him did not collect the material from the site intentionally and deliberately.
Hence there is no deficiency on the part of the respondents.

6- That the contents of Para No. 6 of the complaint are wrong and denied being misconceived.

7- That the contents of the Para No.7 of the complaint are totally wrong and vehemently denied.

8- That the contents of Para No. 8 of the complaint are wrong and denied. It is incorrect that due to deficiency of Service there was mental, harassment, agony and tension to the complainant. It is incorrect that the complainant is legally entitled to claim compensation to the tune of Rs.________/- from the respondent.

9- That the contents of Para No. 9 of the complaint are matter of record.

10- That the contents of Para No. 10 of the complaint are wrong and incorrect.

REPLY TO PRAYER:

That the prayer of the complaint is also wrong and vehemently denied. The complainant is not entitled for any relief.

PRAYER

It is, therefore, prayed that in the interest of justice and in view of the forgoing facts and circumstances the complaint of the complainant may kindly be dismissed with costs.
RESPONDENTS.
Through counsel:
_________, Advocate, ___________.