LN- RAJAMMA

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MAMATHA. J No.

476, Kumbhar Street,


Advocate Opp. Post Office, K.R. Puram,
Bangalore-560 036.
Ph:9886782435.
--------------------------------------------------------------------------------------
Dated: 19.09.2024

To,

Sri. C Prasanna Kumar.,


S/o. T Chinnappa,
Aged about 50 years,
R/a. T.C. Halli, Dommasandra Post,
Anekal Taluk, Bangalore-562125

Sir,
Under instructions from my client Smt. Rajamma, D/o.
Nanjappa and Late Rudramma, Aged about 53 years, R/a
Anchemuskur Village, Lakkur Hobli, Malur Taluk, Kolar District, this
notice is issued as under:

1. My client informs me that she is one of the co-owner having


1/4th undivided share in the Lands bearing i) Sy No. 36 measuring 2
Acres 24 Guntas and ii) Sy No. 32/2 measuring 2 Acres 10 Guntas
and 01 Gunta of kharab, both situated at Anchemuskur Village,
Lakkur Hobli, Malur Taluk, Kolar District and that a suit in O.S No.
536/2011 is pending adjudication on the file of the Honble Senior
Civil Jude, Malur for partition of the above said properties by metes
and bounds and that when the fact stood thus, you had got
executed a General Power of Attorney dated 30.07.2014, Registered
as Doc No. MLR-4-00293-2014-15 of Book IV stored in CD No.
MLRD106 in the office of the Sub-Registrar, Malur, from my client
by assuring to my client that you will not only get the dispute
settled and closed amicably but also ensure that the 1/4 th share
which my client is entitle for, will be developed after obtaining
requisite permission and sanctions and the same shall be done
through separate document and that my client being an illiterate
lady having no source of income except the little income that would
generate from cultivation of the above said lands, believed your
words and executed the above said General Power of Attorney in
your favour, wherein, you apart from conferring certain powers on
yourself, have also got sale power conferred on you in the said
General Power of Attorney, which fact was never intimated at any
point of time to my client and my client had never intended to
confer any such right of sale of any portion of the aforesaid
property in your favour nor has she entered into any agreement of
sale with you nor received any amount from you as allegedly
claimed by you in the said General Power of Attorney.

2. My client further informs that as per the agreed terms, you


were required to act on behalf of my client in safeguarding her
interest not only in the pending suit but also in preventing any third
party interest being involved in the enjoyment of the land by my
client and that it is in the said context, the powers as mentioned in
the Power of Attorney (except sale clause) were conferred upon you
so as to enable you to do such acts, things, deeds as is permissible
under law and in accordance with law.

3. It is also informed to me that till date you have neither got the
dispute settled as assured nor acting in terms of the agreed terms
and that on the contrary, you have been acting detrimental to the
interest of my client and the subject land in as much as my client
has learnt that you are making hectic efforts to sell the above said
land together with my client’s 1/4 th share to some intending
purchasers. My client further informs me that, on the basis of the
General Power of Attorney executed in your favour, you are
misusing the powers conferred on you and in the process trying to
illegally dispose of my client’s share in the aforesaid land and that
despite repeated request and demand of my client not to act
against the interest of my client, you have not stopped doing so and
that you are not safeguarding my client’s interest despite lapse of
more than 10 years of executing the GPA and that my client has lost
trust and confidence on you and as such she no longer relies on
your false assurances.
4. My client further informs that due to your inaction to act
properly and failing to safe guard my client’s interest, my client is
put to lot of inconvenience, hardship, loss of face, harassment,
agony apart from financial loss and that in order to avoid further
inconvenience, hardship, loss, etc., so also to avoid any adverse
order / decree in the pending suit, my client being of the view that
the acts, things and the deeds which are you are doing and
intending to do, is not only highly deplorable and lacks
professionalism, but has also made my client to lose the trust and
the confidence she had on you and that in order to avoid any further
misuse of the powers, my client having no other option, but to
cancel, the General Power of Attorney dated 30.07.2014, Registered
as Doc No. MLR-4-00293-2014-15 of Book IV stored in CD No.
MLRD106 in the office of the Sub-Registrar, Malur, Under the
aforesaid facts and circumstances, you are hereby;

i) NOTIFIED that the General Power of Attorney dated


30.07.2014, Registered as Doc No. MLR-4-00293-2014-15 of Book IV
stored in CD No. MLRD106 in the office of the Sub-Registrar, Malur,
executed in your favour is hereby REVOKED and CANCELLED; and
in view of the revocation and cancellation of the said General power
of Attorney dated 30.07.2014, you are hereby called upon to
restrain immediately from acting as Power of Attorney holder of my
client in the matters relating to the subject land; and

ii) It is also notified to you that any acts, deeds and things done
hereinafter, shall be illegal and without authority and that all such
acts, deeds and things done shall not be binding on my client. Take
note that my client shall also carry out paper publication to notify
the General Public about the cancellation of General Power of
Attorney dt.30.07.2014.

Charges of this notice is Rs. 20,000/- payable by you.

(MAMATHA.J)
Advocate
Copy of this notice is also
forwarded to the Sub Registrar,
Malur, with a request to take
cognizance of the cancellation of
the General Power of Attorney
and to restrain registration of
any documents presented to it
on behalf of my client in respect
of the above said land.

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