Format of Application for Inspection of Case File

Format of Application for Inspection of Case File

Birth Certificate Affidavit FormatIN THE COURT OF _____

_____   Versus   _____

  SUIT FOR DECLARATION & PERMANENT INJUNCTION
APPLICATION FOR INSPECTION OF CASE FILE

RESPECTFULLY SHOWETH:

1- That the above noted case is pending before this Hon’ble court and is fixed for _____
2- That the applicant wants to inspect the court file today

It is, therefore, prayed that the applicant may kindly be allowed to inspect the court file today in the interest of justice.

Dated: _____

Applicant

Through counsel
_____ Advocate, ____

Format of Application to Add Name in Ration Card

Format of Application to Add Name in Ration Card

affidavitI, _______ SON OF _______ RESIDENT OF _______, do hereby solemnly affirm and declare as under:-

1. That I am the permanent resident of above said address.
2. That I am the Ration Card Holder bearing its No. ________.
3. That my father’s namely _______ (Aged about ___ years) & my mother namely _______ (Aged about ___ years.
4. That I want to entered my _______ name in my Ration Card.
5. That my above said statement true and correct.

Deponent

VERIFICATION:-

Verified that the contents of above my said affidavit are true and correct to the best of my knowledge and belief and nothing has been concealed therein.

Deponent

Format of Application for Certificate of Origin

Format of Application for Certificate of Origin

Birth Certificate Affidavit FormatThe undersigned being the exporter of the goods described overleaf DECLARE that these goods were produced in _____________(Country’s Name)
Follow the grounds on which the goods are claimed to comply with GSP origin requirements)
_______________________________________________
_______________________________________________
_______________________________________________
_______________________________________________

Submits the following Supporting Documents
_______________________________________________
_______________________________________________
_______________________________________________
_______________________________________________

UNDERTAKES to submit, at the request of the appropriate authorities of the exporting country, any additional supporting evidence which these authorities may require for the purpose of issuing a certificate of origin and undertakes, if required, to agree to any inspection of his accounts and check on the processes of manufacture of the above goods, carried out by the said authority.

Request the issue of a certificate of origin for these goods

Place and Date___________

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 Complaint

Format of Application for Complaint

Format of Application for Complaint
Format of Application for Complaint

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 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
Format of Application for Amendment of the Title of the Claim

________   VERSUS ________

APPLICATION FOR CLAIM

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 Refund of Charges

Format of Application for Refund of Charges

Format of Application for Refund of Charges
Format of Application for Refund of Charges

In the court of ________________

____________ Vs. ____________

 

Application for Refund of _________ charges i.e. Rs. ________/- lying deposited under account No. _______ dated ____________

Respectfully Showeth:

1-    That the above case is _________ in this Hon’ble court and is fixed for____________.

2-    That the applicant deposited the diet money of Rs. __________/- for the ___________on__________. The _________ was not effected in the _________.

3-    That now the applicant wants to withdraw the said amount from this Hon’ble court.

It is, therefore, prayed that the publication amount of Rs. ________/- may kindly be ordered to be refunded to the applicant/plaintiff.

Dated___________                                                                   Applicant/plaintiff

Through counsel

____________ Advocate_________

Format of Application For Inspection Of The Case File

In the court of _________________________________________________

In the matter of :

___________ Vs.      ___________

Format of Application For Inspection Of The Case File

Format of Application For Inspection Of The Case File
Format of 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, __________

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, _________