Application for Recovery of Dues Format

Application for Recovery of Dues Format
Application for Recovery of Dues Format

Ref. No…………….    Dated ____, __________

REGD.A.D.

LEGAL NOTICE

To,

_____________

Dear Sir,

Pursuant to the instructions from and on behalf of my client ___________________, through its _____________, I do hereby serve you with the following Legal Notice: –

1- That my client is a ___________ firm under the name and style of M/s ______________________.

2- That my client is engaged in the business of __________ of the ___ etc.

3- That against your valid and confirmed order my client did your job work from time to time on credit basis as you have running credit account in the account books of my client operated in due course of business.

4- That my client-raised bills of each and every work performed for payment, although you have acknowledged the receipt of such bills raised by my client.

5- That inspite of acknowledging the liability of payment of principal balance of Rs. _________/- you have been miserably failed to make payment of the said amount due to my client from you deliberately with malafide intent, hence you are liable to pay the said principal balance amount of Rs. __________/- alongwith interest @ __% p.a. from the date of due till actual realization of the said sum as is generally and customarily prevailing in the trade usages, which comes to Rs. __________/-

6- That thus you are liable to pay the total amount of Rs. ________/- to my above named client and my above named client is entitled to recover the same from you.

7- That my client requested you several times through telephonic message and by sending personal messenger to your office for release of the said outstanding payment, but you have always been dilly delaying the same on one pretext or the other and so far have not paid even a single paisa out of the said outstanding undisputed amount.

I, therefore, through this Notice finally call upon you to pay to my client Rs. __________/-. along with future interest @ __ % p.a. from the date of notice till actual realization of the said amount, together with notice fee of Rs. ____/- to my client either in cash or by demand draft or Cheque which ever mode suits you better, within clear 15 days from the date of receipt of this notice, failing which my client has given me clear instructions to file civil, criminal., suit for recovery and other Misc. proceedings against you in the competent court of law and in that event you shall be fully responsible for the same.

A coy of this Notice has been preserved in my office for record and future course of action.

                                                                                                                                                                          (____________)
                                                                                                                                                                                   ADVOCATE

Refund of Caution Money Affidavit Format

Refund of Caution Money Affidavit Format
Refund of Caution Money Affidavit Format

I, ____ SON OF ____ RESIDENT OF ____, do hereby solemnly affirm and declare as under :-

1. That ____ is my real ____.

2. That my above said _____ has taken ____ in your ____ namely ____.

3. That my above said ____ has taken transfer certificate for further ____.

4. That I had deposited caution money at the time of ____ of my ward as a security.

5. That my security receipt of the above said security has been misplaced any where.

6. That the above said security amount make kindly be give to me on the basis of this affidavit.

                                                                                                                                                                             DEPONENT

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

                                                                                                                                                                                   DEPONENT

Declaration for Physical Fitness for Driving License Format

Declaration for Physical Fitness for Driving License Format
Declaration for Physical Fitness for Driving License Format

APPLICATION-CUM-DECLARATION AS TO PHYSICAL FITNESS

  1. Name of the Applicant:__________________

__________________

  1. Son/Wife/Daughter of:         __________________

__________________

  1. Permanent Address:             __________________                                                                                                            __________________
  2. Official / Temporary __________________

address (if any)                       __________________

  1. Date of Birth Date ____ Month ____Year_____________

Age on date of application     __________________

  1. Identification marks

(1) __________________

(2) __________________

DECLARATION:

(a) Do you suffer from epilepsy or from sudden attacks of loss of consciousness or giddiness from any cause? Yes/No.

(b) Are you able to distinguish with each eye (or if you have held a driving license to drive a motor vehicle for a period of not less than five years and if you have lost, the sight of one eye after the said period of five years and if the application is for driving a motor vehicle other than a transport vehicle fitted with an outside mirror on the steering wheel side) or with eye, at a distance of 25 metres in good day light (with glasses, if worn ) a motor car number plate? Yes/No

(c) Have you lost either hand or foot or are you suffering from a defect or muscular power of either arm or leg? Yes/ No

(d) Can you readily distinguish the pigmentary colours, red and green? Yes/No

(e) Do you suffer from night blindness? Yes/No

(f) Are you so deaf as to be unable to hear (and if the application is for driving a light motor vehicle, with or without hearing aid) the ordinary sound signal? Yes/No

(g) Do you suffer from any other disease or disability likely to cause your driving of a motor vehicle to be a source of danger to the public, if so, give details. Yes/No

I hereby declare that to the best of my knowledge and belief, the particulars gives above and the declaration made therein are true.

(Signature or thumb impression of the application)

Note : (1) Applicant who answers `Yes’ to any of the questions (a), (c), (e), (f) and (g) or `No’ to either of the questions (b) and (d) should amplify his answers with full particulars, and may be required to give further information relating thereto.

(2) This declaration is to be submitted invariably certificate in Form 1-A.

Incoming Search Terms:

  •  Driving License Medical Declaration Form
  • Driving License
  • Driving Licence
  • Medical Test
  • International Driving License
  •  Medical Declaration
  • Form 1

Note: Note: This form is for reference only and not to be used for making application. For Driving License application form please visit your near License Authority

Application for Divorce Petition Format

Application for Divorce Petition Format
Application for Divorce Petition Format

IN THE COURT OF HON’BLE DISTRICT JUDGE, ___________.

HMA Petition No.__________ OF _____

Smt. _________ wife of Shri _________ D/o ___________ R/o __________________.
…PETITIONER

VERSUS

____________ son of Shri _____________ resident of ______________________
…..RESPONDENT

PETITION UNDER SECTION 13 OF THE HINDU MARRIAGE ACT, ______ FOR DISSOLLUTION OF THE MARRIAGE BY A DECREE OF DIVORCE

SIR/Madam
The petitioner respectfully submits as under:-
1- That the petitioner was married with the respondent on ___________ at ______________ according to Hindu rites and ceremonies in the presence of friends, relatives and family members of both the parties. An affidavit to this effect is enclosed herewith the petition.
2- That the status of the parties before the marriage and at the time of filing the present petitioner were/are as under
PETITIONER RESPONDENT
Status Residence Status Residence.
i) Before ___________________ ________________________
Marriage ___________________ ________________________

ii) At the Married -do- Married -do-
time of
filing of this
Petition

3- That after the marriage the petitioner and the respondent lived together as husband and wife and consummated their marriage at the residence of the respondent and out of the said wed lock one child namely ___________ alias __________ was born on ____________.

4- That from the very begining of the marriage the behaviour of the respondent was not good towards petitioner. The respondent is habitual of daily drinking and gambling /Lottery and after drinking the respondent always used to give merciless beatings to the petitioner. The respondent used to spent all his earnings on taking liquor and gambling. The respondent pressurized the petitioner to bring the amount of Rs. ____________/- from her parents and when the petitioner refused to bring the amount then the respondent gave merciless beatings to the petitioner. The parents of the petitioner gave the amount of Rs. _____________/- and Rs. ____________/- to the respondent on two occasions but the respondent did not mend his ways rather he continuously tortured the petitioner to bring more money from her parents. The respondent always taunted the petitioner by giving abusive and unparliamentary language without any cause in the presence of relatives and friends. The life of petitioner became like a hell due to the respondent’s behaviour.

5- That although the parents of the respondent arranged a very decent marriage according to his financial capacity and gave sufficient dowry/ Istri Dhan items, but yet the respondent was very greedy in nature from the very beginning of marriage. The respondent sold away entire jewelries and ornaments of the petitioners on playing lottery and drinking. The respondent committed a lot of cruelties with the petitioner and turned out the petitioner, only due to the reason that the respondent had refused to bring Rs. _____________/- from her parents on ______________. The life of the petitioner has been made like a hell. The respondent threatened that he will not keep and maintain the petitioner till his demands are not fulfilled by her parents.

6- That various panchayats were convened at the house of the respondent and the parents of the petitoner requested the respondent to keep and maintain the petitioner but the respondent clearly refused to keep and maintain the petitioner. The last panchayat was convened on ____________ in the presence of respectable , relatives in which Shri _________________ son of Shri ____________ R/o ____________________ and Shri ___________ son of Shri _____________ R/o House NO. __________________ were also present but the respondent did not agree to keep and maintain the petitioner and the respondent put the condition that he will not keep the petitioner without obtaining the illegal amount of Rs. ______________/-from the parents of the petitioner.

7- That the petitioner bears all type of cruelties because the petitioner wanted to save her married life and do not want to spoil her life. Many times the parents and relatives advised the respondent to get-off to drink and to behave properly but to no use. The petitioner also tried to advise the respondent many times to change his behavior and not to drink but the respondent refused to accept the legitimate requests of the petitioner and the relatives.

8- That the respondent has deserted the petitioner without any reasonable and justifiable cause and rhyme and hence it has become impossible for the petitioner to live more in the company of the respondent therefore, the petitioner is entitled for a decree of divorce on the grounds of cruelties and desertion.

9- That the cause of action to file the present petition accrued to the petitioner many times when the respondent abuses in the filthy language and the petitioner was beaten mercilessly. The cause of action also accrued on ____________ when the respondent turned out the petitioner alongwith her minor daughter. The cause of action further arose on each and every date when the Panchyats were convened and it lastly arose on ______________ when the respondent clearly refused to keep and maintain the petitioner. Hence this petition.

10- That the parties are Hindus by religion.

11- That the present petition has not been by the petitioner filed in collusion with the respondent.

12- That no such petition is pending or has been filed or decided by any court of law on the same subject matter between the same parties.

13- That petitioner has no legal impediments why the relief sought for is not granted to the petitioner.

14- That the petitioner is still residing at __________ the marriage was solemnized at _____________ within the jurisdiction of this hon’ble court therefore, this hon’ble court has got the jurisdiction to entertain and try the present petition.

15- That a fixed court fee has been paid on the petition.

PRAYER:
It is, therefore, prayed that a decree for Divorce Under section 13 of the Hindu Marriage Act, 1955 thereby dissolving their marriage of the petitioner and the respondent on the grounds of cruelty and desertion may kindly be passed in favour of the petitioner and against the respondent along with costs of the petition. It is prayed accordingly.
PETITONER.
Through counsel:
_____________ Advocate, _____________.

VERIFICATON:
Verified that the contents of Paras No.1 to 12 and 14 of the petition are true to best of my knowledge and Paras No. 13 & 15 of the petition are true to best of my belief as information received by me through my counsel. Last Para is the prayer before this hon’ble court.
Verified at ___________ on ___________
PETITONER.

Marriage Divorce Legal Notice Format

Marriage Divorce Legal Notice Format
Marriage Divorce Legal Notice Format

___________ RESIDENCE CUM OFFICE
Advocate
Seat No.___, _________

Ref No.________ Dated ____________

LEGAL NOTICE
To,

_______ S/o Shri __________
______________________

Sir,

Under instruction from and on behalf of my client Smt. _________ daughter of Shri __________, resident of _________________, I do hereby serve you with the following notice, the contents of which are set forth herein below :-
1- That you were married with my client about ______ years ago at _____________, according to Hindu rites and ceremonies in the presence of friends, relatives and family members of both the parties.

2- That after the marriage you and my client lived together as husband and wife and cohabited with each other at ___________ and . Out of the said wedlock of my said client and you one son named _____ aged __ years, _____ daughter aged __ years were born.

3- That at the time of solemnization of this marriage the parents of my client had given sufficient dowry articles to you. At the time of marriage you were involved in unsocial activities. You used to consume wine daily and were also involved in gambling. You started adopting cruelties mentally as well as physical upon my client and whenever my client tried to mend your ways then you and your mother mercilessly beat my client.

4- That your attitude towards my client was very rude and indifferent from the very beginning and my client always fulfilled your illegal demands time to time. Your mother always taunted my client and said if she was interested to live in the matrimonial house then she would have to bear all the atrocities and cruelties.

5- That my client was of the opinion that after the birth of children you will improve your acts and behaviour and would leave your bad habits but you did not do so and you and your mother always abused, insulted, maltreated and misbehaved my client. Your mother refused turned out my client time to time from her matrimonial house.

6- That on _____________ you turned out my said client from her matrimonial house in three wearing clothes. You kept the children of my said client in our custody. Since the month of ____________ you and your above said mother are black mailing my client and her family members. You and your family members threatened to my client and her family members threatening my client for dire consequences according and as per directions of mother. You have refused to return the entire dowry articles and jewelaries of my said client. You have deserted my said client and hence my said client is not interested to live in your client. My client is also not interest to take the custody of the minor children from you. It my client would join your company then you would cause her death hence my client wants to dissolve her marriage immediately

I, therefore, call upon you through this legal notice to execute the Divorce Deed and papers etc. dissolving this marriage immediately within a period of 15 days from the date of receipt of this legal notice, failing which my client shall constrained to file appropriate proceedings against you in the court of law and in that event you shall be responsible for all costs, risks and responsibilities which you please note well.

A copy of this legal notice is retained in my office for record and further necessary action.

____________, Advocate, _________.

Consequential Relief Permanent Injunction Format

Consequential Relief Permanent Injunction Format
Consequential Relief Permanent Injunction Format

In the court of Hon’ble Civil Judge, Senior Division, ____.

_________ Versus __________
Suit for Declaration with a Consequential Relief Permanent Injunction
APPLICATION UNDER ORDER __ RULE __ C.P.C. READ WITH SECTION ___ CPC PRAYING FOR GRANT OF EXPARTE AD-INTERIM INJUCTIVE ORDER.
Respectfully showeth:
1- That the applicant/plaintiff has this day instituted the above captioned case before this Hon’ble court, the contents of which may kindly be read as part and parcel of this application for the sake of brevity and avoidance of repetition.
2- That succinctly stated that the applicant has very good prim-facie case to succeed, balance of convenience heavily tilts in his favour, and plaintiff will suffer irreparable loss and incalculable injury if the stay sought for is not granted.
3- That on the basis of the false, illegal, and unlawful the judgement and decree dated ____ defendant/respondent wants to dispossess the applicant/plaintiff from the suit land which is mentioned in Para No.1 of the plaint illegally, forcibly and wants to take the possession of the suit land from the applicant/plaintiff illegally, forcibly and unlawfully for which the defendant has no right title and interest to do so. In case respondents/defendant will succeed in her illegal motives in that event the applicant/plaintiff shall only suffer an irreparable loss and incalculable injuries
PRAYER:
It is, therefore, prayed that an ex-parte ad interim injunction order restraining the defendant/respondent from dispossessing the applicant/plaintiff from the suit land and from interfering into the peaceful possession of the applicant/plaintiff over the suit and also from taking the forcible possession of the suit land from the plaintiff which is mentioned in Para No.1 of the plain, forcibly illegally and in any coercive manner whatsoever may kindly be passed in favour of the applicant/plaintiff and against the respondent/defendant till the final decision of the suit.
Dated Applicant/Plaintiff
Through counsel
_____ Advocate, ____.

Suit for Declaration with the consequential relief of Permanent Injunction Format

Suit for Declaration with the consequential relief of Permanent Injunction Format
Suit for Declaration with the consequential relief of Permanent Injunction Format

IN THE COURT OF _____ JUDGE, SENIOR DIVISON, ___________.

______________ Versus. _______________

Suit for Declaration with the consequential relief of Permanent Injunction

AFFIDAVIT.

________ of Shri _________ R/o _________________
District ___________, do hereby solemnly affirm and declare as under:

1- That the deponent was appointed by the defendants in the Defendant No.1 School on the vacant post of __________ on _________ through the _____________, _________ on a monthly salary of Rs. ________ per month. The copy of appointment letter is enclosed herewith the plaint.

2- That ever since the date of her employment as ___________ with the defendants the deponent regularly and continuously discharged her duties upto the year ________. Thereafter, the defendants after passing a proposal kept the deponent continued her services. The salary of the deponent was released by the defendants from the ____________ in the year ________. The defendant No.1 wrote the letter dated ____________ to the defendant No. 3 in this regard. The copy of the letter is enclosed.

3- That the defendants further extended the period of service of the deponent from time to time. The defendant No.1 wrote various letters to the defendant No. 3 in respect of the service of the plaintiff, extension of the period of service of the deponent vide letters dated _________________, upto __________. The photocopies of the letters are enclosed herewith for the kind perusal of this hon’ble court.

4- That the respondent No.1 wrote the letter bearing its Memo No. ____ dated __________ to the defendant No. 3 for the extension of the period of the deponent upto the year ________. Thereafter the services of the deponent were continued by the defendants on the said terms and conditions and she was kept as Part time ________ upto the year _________. The defendants paid the salary amount of the deponent for the year ______ vide their Account payee Cheque No. _________ dated _______ for Rs. ______/-. The defendants again continued the part time services of the deponent for the year 2005-2006_________ and they also made the payment of the salary through the Account Payee Cheque No..__________ for Rs. ___________. After a span of about _ years continuous and regular services of the plaintiff, the defendants being satisfied with the works of the plaintiff, and the deponent never gave any chance for any complaint to the defendants. Due to the long span of time she has become regular employee and she has become entitled for all the benefits of a permanent and regular employee.

5- That now the defendants with a malafide intention for the purpose of recruiting some other employee at the post of the deponent are bent upon to terminate the services of the deponent forcibly and illegally. The defendants are also threatening the deponent to submit her resignation voluntarily to them, sign the resignation, full and final vouchers of the payment otherwise they would forcibly took the signatures of the deponent and would terminate her immediately.

6- That the deponent requested the defendants several times to see reason and to terminate her from her services as she has no other source of income for her livelihood. The deponent also requested the defendants to regularly her services as part time _______ but the defendants refused to regularize the services of the deponent and they threatened that they would recruit some other person in place of services of the plaintiff.

7- That the cause of action to file the present suit accrued on each and every date when the defendants extended the period of services of the deponent and it further arose on ___________ when the Cheque for the salary of the deponent was handed over by the defendants to the plaintiff. The cause of action further arose on _________ when the defendants threatened the deponent to terminate her services forcibly and illegally. Hence _____ is the final date of cause of action arose in favour of the deponent and against the defendants. Hence this suit.

Deponent

VERIFICATION:

Verified that the contents of my above affidavit are true and correct to best of our knowledge and belief and nothing material has been concealed therein.
Verified at ___________ on
Deponent.

Property Declaration Affidavit Format

Property Declaration Affidavit Format
Property Declaration Affidavit Format

I, ____ son of ____, resident of ____, do hereby declare on oath as under: –

1- That I am owner in possession of ____.

2- That I purchased ____, measuring ___ Sq. Yards situated within ____ from ____ S/o ____ resident of ____ vide sale deed bearing its document No.____ dated ____ registered in the office of ____.

3- That after purchasing the said plot the ____ allotted ___ Ward No. ___, ____ in respect of the said plot.

4- That ____ and ____ is the one and the same property.

5- That if any difference will be found later on in my statement in respect of the above mentioned property then I shall be fully responsible for the same and if later on the ____ will be find any right, title and interest over the said property then that person can take any action against me.

                                                                                                                                                                         Declarant /Deponent

VERIFICATION

Verified that the contents of my above declaration are true and correct to best of my knowledge and belief and nothing has been concealed therein.
Verified at ____ on ____

                                                                                                                                                                         Declarant /Deponent

Holiday File Petition Format

Holiday File Petition Format
Holiday File Petition Format

IN THE COURT OF ____

____ Vs. ____

 

FIR NO: ____
U/S : ____ IPC
P.S: ____
AFFIDAVIT

I, ____ s/o,w/o ____, R/o ____, do hereby solemnly affirm and declare as under:-

1- That I have filed a Petition Under section __ before the Hon’ble High court of ____ in ____ No. ____ against the present case

2- That in ____ No. ___ of ____ the Hon’ble Justice ____ vide their order dated ____ stayed the proceedings of the present case

3- That due to the holiday the petitioner could not get the certified copy of the order passed by the Hon’ble court in that petition

4- That now there are holidays before the Hon’ble court and the petitioner undertakes to produce the certified copy of the above said order after the holidays and that petition is fixed for ____ for further proceedings

                                                                                                                                                                                           DEPONENT

VERIFICATION

Verified that the contents of my above affidavit are true to best of my knowledge and belief and nothing concealed therein.
Verified at ____ on ____

                                                                                                                                                                                            DEPONENT

Declaration for Physical Fitness for Driving License Format

Declaration for Physical Fitness for Driving License Format
Declaration for Physical Fitness for Driving License Format

APPLICATION-CUM-DECLARATION AS TO PHYSICAL FITNESS

  1. Name of the Applicant:__________________

__________________

  1. Son/Wife/Daughter of:         __________________

__________________

  1. Permanent Address:             __________________                                                                                                            __________________
  2. Official / Temporary __________________

address (if any)                       __________________

  1. Date of Birth Date ____ Month ____Year_____________

Age on date of application     __________________

  1. Identification marks

(1) __________________

(2) __________________

DECLARATION:

(a) Do you suffer from epilepsy or from sudden attacks of loss of consciousness or giddiness from any cause? Yes/No.

(b) Are you able to distinguish with each eye (or if you have held a driving license to drive a motor vehicle for a period of not less than five years and if you have lost, the sight of one eye after the said period of five years and if the application is for driving a motor vehicle other than a transport vehicle fitted with an outside mirror on the steering wheel side) or with eye, at a distance of 25 metres in good day light (with glasses, if worn ) a motor car number plate? Yes/No

(c) Have you lost either hand or foot or are you suffering from a defect or muscular power of either arm or leg? Yes/ No

(d) Can you readily distinguish the pigmentary colours, red and green? Yes/No

(e) Do you suffer from night blindness? Yes/No

(f) Are you so deaf as to be unable to hear (and if the application is for driving a light motor vehicle, with or without hearing aid) the ordinary sound signal? Yes/No

(g) Do you suffer from any other disease or disability likely to cause your driving of a motor vehicle to be a source of danger to the public, if so, give details. Yes/No

I hereby declare that to the best of my knowledge and belief, the particulars gives above and the declaration made therein are true.

(Signature or thumb impression of the application)

Note : (1) Applicant who answers `Yes’ to any of the questions (a), (c), (e), (f) and (g) or `No’ to either of the questions (b) and (d) should amplify his answers with full particulars, and may be required to give further information relating thereto.

(2) This declaration is to be submitted invariably certificate in Form 1-A.

Incoming Search Terms:

  •  Driving License Medical Declaration Form
  • Driving License
  • Driving Licence
  • Medical Test
  • International Driving License
  •  Medical Declaration
  • Form 1

Note: Note: This form is for reference only and not to be used for making application. For Driving License application form please visit your near License Authority.