Format of Affidavit For Rent Disbursement

Format of Affidavit For Rent Disbursement

Birth Certificate Affidavit FormatTo,

The _________ Manager
_________
_________

Subject: Application for Disbursement of Rent

Dear Sir,

I have rented out the Property Address: _________, _________  Near _________  measuring _________ square ft to the _________. I want that the monthly rent of the premises be paid to me and/or my _________ on equal share i.e. _________ each.

I confirm that If there is any demand for any taxes etc. by any Authority the entire liability shall be of mine and/or my _________ named above having on bearing on the _________.

I also indemnify to the _________ that if in future any demand of any tax is made on the _________ regarding property it shall be me and/or my _________ responsibility to meet that over.

You are requested to make the payment of the monthly rent to me and/or my aforesaid _________ on equal shares i.e. _________ each.

_________
_________

Format of Application for Policy Transfer to Bank

Format of Application for Policy Transfer to Bank

Birth Certificate Affidavit FormatName: _____________________                             for is: ______

Life Policy No. __________________

I do hereby grant, transfer and assign absolutely for valuable consideration all my right, title and interest in the within policy and the sum thereby assured to the _____  of _____, _____ and their assigns and declare that _____ bank  of _____, _____ will henceforth hold the within policy as absolute owner thereof and that the receipt or receipts of the said _____ bank  of _____, or their assigns for any sum or sums of money to be received by them under or on account of the said policy shall discharge the life _____, ________ Office from all responsibility in respect of the application of such money as effectually and to all intents and purposes as if such receipt or receipts were signed by myself, my heirs, my executors or administrators.

Dated at________________________________

This ____________________________day of ______________________

Signature

 

Format of Application for Search Report for Property

Format of Application for Search Report for Property

Birth Certificate Affidavit FormatTo,

The Manager,
_____ Bank, Branch at _____
District _____

Subject:- Legal Opinion – cum – search report in respect of property in the name of _____, son/daughter of _____, resident of _____.

Sir,

I have personally examined the documents and records of the above referred property and after due considerations certify:-
That I have examined the record of the office of Sub- Registrar, _____ for the past _____ years and found that the property is free from all sorts of encumbrances.

  1. That the property stands in the name of _____, son/daughter of _____ in the revenue _____.
  2. That there are no claims of minors in the property.
  3. That as per Jamabandi for the year _____ in the revenue record of _____. I certify that _____, son/daughter of _____ is the owner in possession from _____ of the _____ land as mentioned in the search report. His/Her name is also recorded in the column of ownership in _____ as owner and in the column of possession and _____ of the said _____ land. He/She is coming continue owner in possession of the _____ land i.e. described in the para no. ___. The chain of title is complete for the past _____ years in all respects .
  4. That _____, Resident of _____ has free and marketable to the property.
  5. That there is no impediment for creating the mortgage.
  6. That the title deed in favoring the present owner detailed in the paragraph no.1 is clear and marketable and fit for accepting the same as security by way of mortgage.
  7. That the property has not been acquired under land acquisition Act, _____ and no notification giving the intention of the acquisition of the said property has been issued.

It is, certified that _____, son/daughter of _____, Resident of _____ is the owner of the property mentioned below having valid and marketable in the title in the property.

DETAILS OF THE PROPERTY:

That the applicant is absolute owner in possession of the _____land bearing _____, total measuring _____ the applicant is owner of _____, which is situated in the revenue _____.

Copy of Receipt No. _____ dated _____

Yours faithfully,
_____, ADVOCATE ____

Property Application Format for Police Aid to Applicant

Property Application Format for Police Aid to Applicant

IN THE COURT OF _____

_____   Versus   _____

EXECUTION

Property Application Format for Police Aid to Applicant
Property Application Format for Police Aid to Applicant

Application for putting up the file and for providing the Police help to the applicant /decree holder for the purpose of delivery of the possession of the property

Respectfully Showeth:

1- That the above execution is pending in this Hon’ble court and is fixed for _____
2- That the bailiff of the _____ along with the _____ reached at the disputed property and requested the _____ to vacate the property and to deliver the actual and physical possession of the property. The _____ avoided to the request of the bailiff and the decree holder and when he was again asked then he did not vacate the property and hence there are the chances of quarrel on the spot.
3- That the applicant _____ requires the police aid /help for the purpose of vacating the property and for taking the possession of the same.

It is, therefore, prayed that the file may kindly be summoned for today and the application of the applicant may kindly be accepted and the police aid may kindly be provided to the decree holder for taking the possession of the property.

Date: _____

Applicant

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
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 Transfer of Declaration

Application Format for Transfer of Declaration
Application Format for Transfer of Declaration

IN THE COURT OF

_______                                     VERSUS               _______

SUIT FOR DECLARATION

APPLICATION FOR REFERRING THE ABOVE NOTED SUIT TO THE _______

RESPECTFULLY SHOWETH:

1- That the above noted case is pending in this Hon’ble court and is fixed for ________

2- That the plaintiff and the defendant have arrived at a compromise and now the defendant is ready to admit the claim of the plaintiff in respect of the suit property

3- That now the applicant wants to get transferred the above noted case to the _______.

It is, therefore, prayed that the above noted case file may kindly be transferred to the _______ in the interest of justice.

Dated:

PLAINTIFF

DEFENDANT

Format of Complaint Application- Negotiable Instruments Act

Format of Complaint Application- Negotiable Instruments Act
Format of Complaint Application- Negotiable Instruments Act

IN THE COURT OF HON’BLE ILLAKA/DUTY MAGISTRATE _________

_________ Son of _________
Resident of _________, District _________

……….COMPLAINANT

VERSUS

1-    _________ Through its _________

2-    _________, _________

……….ACCUSED

Criminal Complaint Under Section _________ Negotiable Instruments Act read with section _________ of the Act & Under Section _________  I.P.C.

Police Station: _________

Sir,

The complainant most respectfully submits as under:-
1-    That the complainant _________.
2-    That after _________.
3-    That _________.
4-    That _________.
5-    That _________.
6-    That complainant has been residing at _________, the banker of the complainant is also situated at _________ and thus entire cause of action accrued in favour of the complainant at _________ within the territorial jurisdiction of this Hon’ble court and therefore this Hon’ble court has got the jurisdiction to entertain and try the present complaint.

PRAYER:-

It is, therefore, most respectfully prayed that the accused may kindly be summoned, prosecuted and punished as per the provisions of the section _________ of the N.I. Act read with section _________ of the act and under section _________ of IPC.
Dated: _________                         Complainant

_______ S/o _________
R/o _________, _________,
District _________.

Through counsel:
_________Advocate, _________

Format of Application for putting case file

Format of Application for putting case file
Format of Application for putting case file

IN THE COURT OF  _____

_____        Versus             _____

CLAIM PETITION
APPLICATION FOR PUTTING THE CASE FILE FROM THE RECORD ROOM AND ISSUANCE FORM (C)

Sir,
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”.
Dated :

Applicant
_____ S/o _____, R/o _____

Through Counsel:
_____ Advocate, _____

Format of Application for Complaining against Mobile Tower Installation

Format of Application for Complaining against Mobile Tower Installation
Format of Application for Complaining against Mobile Tower Installation

IN THE COURT OF HON’BLE CIVIL JUDGE, SENIOR DIVISION,
____________.

Civil suit No.____of ____
_________________ S/o Shri_________
R/o _________________

…Plaintiff
Versus
1- ____________
R/o _______________.

2- The Joint Commissioner
Municipal Corporation,
________________.

…Defendants.

SUIT FOR PERMANENT INJUNCTION & IN THE
CONSEUENTIAL RELIEF FOR MANDATORY INJUNCTION

Sir,
The plaintiff respectfully submits as under: –
1- That the plaintiff is the owner in possession of _____________, consisting of one room, one Tin Shed, Open Space and one Shop, which is situated at ________________________. The said house is fully shown in the attached site plan Annexure –P-1. The said house is bounded as under:-
EAST – ___________
WEST – ___________
NORTH – ___________
SOUTH – ______________

2- That the defendant NO.1 is owner in possession in the adjoining double Storey _____________________ which is situated towards the __________ side of the house of the plaintiff and the same is shown in the enclosed site plan Annexure __.

3- That the defendant NO.1 has installed some portion of _____________ Mobile Tower over the first floor of his house which is shown in the red colour in the enclosed site plan. It is pertinent to mention that the ______________ is the residential colony and the defendant No.1 OR ANY body else of the colony is not legally entitled to install any Mobile Tower over the first floor of his house. The said Mobile Tower is being installed by the defendant No.1 on the floor of first floor of his house which has no any base on the ground. The proposed Tower can fallen at any time in the heavy rain and storm at any time and if the same will be fallen then the said Mobile Tower will be fallen on the roof of the plaintiff due to which the plaintiff will suffer a huge loss. It is worth to mention here that the rays of the said Tower will discharge the rays, which will affect the residents of ___________________.

4- That the plaintiff asked the defendant to remove the said Mobile Tower from the roof of first floor of his house but the defendant No.1 told that he has taken the permission from the defendant No.2 in this regard. The plaintiff moved an application before the defendant No.2 and requested him to stop the defendant No.1 from installing the Mobile Tower on the first floor of his house. The plaintiff sent the copies of the same to the __________________ and to the Commissioner Municipal corporation, _________ but no action was taken by the said authorities. The photocopy of the application dated ____________ is enclosed herewith the plaint for the kind perusal of this Hon’ble court. However the defendant No.1 has succeeded to install some penels over the first floor of his house.

5- That on ___________ the defendant No.1 called about 15-20 persons and he tried to install the Mobile Tower over the roof of his house but due to the intervention of the plaintiff he could not succeed in his illegal designs. However the defendant No.1 is still adamant to install the Mobile tower with the help and support of the defendant No.2 forcibly and illegally for which the defendant No.1 has got no right, title and interest to do so. The defendant No.2 is still threatening to completely install the _________ MOBILE TOWER over the roof of first floor of his house forcibly and illegally. If the defendant No.1 will succeed in his illegal motives then the plaintiff will suffer an irreparable loss and injuries which cannot be compensated in any manner whatsoever;

6- That the of cause of action to file the present suit firstly arose on ______________ when the defendant No. 1 installed some portion of the __________ Mobile Tower forcibly. The cause of action further arose on ___________ when the plaintiff moved the application to the defendant No.2 requesting him to stop the defendant No.1 from installing the Mobile Tower over the first floor of his house forcibly and illegally. The cause of action finally arose on _____________ the defendant No.1 called about ______ persons and he tried to install the Mobile Tower over the roof of his house. Hence this is the date when the final cause of action arose in favour of the plaintiff and against the defendants, which necessitated the institution of the present suit.

7- That the present suit being filed by the plaintiffs against the defendant is the first suit and no such suit has been previously filed, pending or decided by any court of law on the same subject matter.

8- That plaintiff and the defendant No.1 reside and suit property is situated at _________ and the and entire cause of action also accrued between the parties at __________, within the territorial jurisdiction of this Hon’ble court, therefore, this Hon’ble court has got the jurisdiction to entertain and try the present suit

9- That the value of the suit for the purposes of court fee and jurisdiction is assessed at Rs. ___/- upon which a fixed court fees has been affixed on the plaint.

PRAYER:
It is, therefore, prayed that this Hon’ble court may kindly be pleased to:

(i) Pass a decree permanent injunction restraining the defendants from installing the MOBILE TOWER over the first floor of his house which is situated just near the house of the plaintiff mentioned in para No.1 of the plaint and fully shown in the enclosed site plan forcibly, illegally and in coercive manner whatsoever, may kindly be passed in favour of the plaintiff and against the defendants alongwith costs of the suit.

(ii) In the consequential relief a decree for mandatory injunction thereby directing the respondent No.1 and 2 to remove the some Penal installed by the defendant No.1 over the first floor of his house immediately, may kindly be passed in favour of the plaintiff and against the defendants

(iii) Or any other relief, which this Hon’ble court deems fit and proper, be also granted in favour of the plaintiff and against the defendants.

Plaintiff.
Through counsel:
______________, Advocate, _______________
VERIFICATION:

Verified that the contents of paras No.1 to 6 and of the plaint are true and correct to best of my knowledge and Paras No. 7 to 9 of the plaint are true to best of my belief and on the information received. The last Para is the humble submission before this Hon’ble court.
Verified at ___________ on ___________
Plaintiff.