Format of Entertaining petition without certified copy of FIR & MLR

Format of Entertaining petition without certified copy of FIR & MLR

Birth Certificate Affidavit FormatIN THE COURT OF _____

_____                Versus           _____

PETITION UNDER SECTION _____ OF THE _____

APPLICATION FOR ENTERTAINING THE PETITION WITHOUT THE CERTIFIED COPY OF THE FIR AND MLR

RESPECTFULLY SHOWETH:

1-    That the applicant /petitioner is filing the above-mentioned petition _____ before this Hon’ble court.
2-    That the applicant /petitioner has not obtained the certified copy of the FIR & the MLR and he has been filing the photocopy of the same alongwith the present petition
3-    That the applicant will deposit the certified copy of the said FIR & MLR before this Hon’ble court later on  dated _____
It is, therefore, prayed that the above mentioned petition of the petitioner may kindly be accepted without the certified copy of the above mentioned FIR & MLR in the interest of justice.
Dated:_____

PETITIONER

Through Counsel

_____ Advocate, _____

Format of Application for Restoration of Execution Petition

Birth Certificate Affidavit FormatFormat of Application for Restoration of Execution Petition

BEFORE THE PRESIDENT DISTRICT CONSUMER DISPUTES  REDRESSAL FORUM
_____            Versus         _____

COMPLIANT U/S _____ OF _____

EXECUTION

APPLICATION FOR RESTORATION OF THE EXECUTION PETITION WHICH DISMISSED IN DEFAULT _____ I.E. ON _____

RESPECTFULLY SHOWETH:

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.

Dated: _____

DECREE HOLDER /Applicant

Through counsel
_____ Advocate, _____

Amendment Format of Title of Petition

Amendment Format of Title of Petition
Amendment Format of Title of Petition

IN THE COURT OF _____

_____       Versus         _____

CLAIM PETITION UNDER _____

APPLICATION FOR AMENDMENT OF THE TITLE OF THE PETITION

RESPECTFULLY SHOWETH:

1-    That the above noted petition is pending in this Hon’ble court and is fixed for _____.

2-    That due to the typical mistake in the title of the petition the petitioner has filed the above mentioned CLAIM PETITION UNDER SECTION _____ READ WITH SECTION _____ OF THE _____ FOR THE GRANT OF COMPENATION OF _____/- AND _____/- UNDER NO FAULT LIABILITY instead of CLAIM PETITION UNDER SECTION _____ READ WITH SECTION _____ OF THE _____ FOR THE GRANT OF COMPENSATION OF _____/- AND _____/- UNDER NO FAULT LIABILITY.

3-    That now the applicant/petitioner wants to amend the title of the petition by mentioning section _____ in place of Section _____ in the title of the claim petition.

PRAYER

It is, therefore, prayed that the application for amendment of the applicant/petitioner may kindly be allowed and the applicant may kindly be permitted to amend the title of the above-mentioned claim petition accordingly.

Dated: _____

APPLICANT

Through Counsel:

_____ Advocate, _____

Format of Warrants Application

Format of Warrants Application
Format of Warrants Application

IN THE COURT OF _____

_____            Versus            _____

Execution No. _____ Dated: _____

Execution Petition

Application for issuance of warrants of attachment against the judgement debtors namely _____ instead of _____ and against other Judgement Debtors.

Respectfully Showeth:-

1-    That the above noted execution petition is pending before this Hon’ble court and is fixed for _____.

2-    That the Hon’ble court of _____ the _____ was pleased to pass an award of _____/- alongwith interest @ _____% per annum from the date of filing of the petition till actual realisation of the amount in favour of the applicants/decree holders and against the respondents/ judgment debtors jointly and severally vide order dated _____.

3-    That the name of Judgement Debtor namely _____ now known as _____.

4-    That the judgment debtors had filed the appeal against the above-mentioned award before the Hon’ble court of _____ at _____. The J.D./respondents deposited the amount of _____/- on behalf of _____ before this Hon’ble Court of _____ for appeal but the same was dismissed by _____ of the Hon’ble Court of _____ vide order dated _____.

5-    That previously the warrants of attached has been issued in the name of _____ and the same were not being executed properly.

PRAYER

It is, therefore, prayed that the application of the applicants/D.Hs. may kindly be accepted and the amount of award may kindly be recovered from the Judgement debtors by issuing the warrants of attachment against the judgement debtors _____ and other judgement debtors in the interest of justice.

Dated: _____

Decree Holders /Applicants

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, _____________

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, __________