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DPC

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DPC

Uploaded by

Vijay Seithigal
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as DOCX, PDF, TXT or read online on Scribd
You are on page 1/ 18

Mr. Yogesh requested Mr. Rithvik a hand loan of Rs. 4,00,000/- (Rs.

Four Lakh) to meet his personal financial


commitment, and executed a promissory note in favor of Mr. Rithvik at the interest rate of 18% per annum.

After receiving the same Mr. Yogesh did not choose to repay the Principal amount along with interest. Mr. Rithvik
wants to file suit. Draft Suitable Plaint.

IN THE COURT OF THE HON'BLE CITY CIVIL JUDGE AT BANGALORE

O.S. No.893 of 2024


Filing Reference No: ___________

BETWEEN:

Mr. Rithvik,
S/o Prabhakar Reddy
Aged about 40 years,
Residing at Maruthi Nagar
Bangalore, Karnataka, PIN Code - 560093. ...Plaintiff

VERSUS

Mr. Yogesh,
S/o Gajendra Naik
Aged about 56 years,
Residing at Gangaram Palya
Bangalore, Karnataka, PIN Code - 560083. ...Defendant

MEMORANDUM OF PLAINT FILED UNDER ORDER VII RULE (1), (2) CPC READ WITH SECTION 26
OF CPC

SUIT FOR RECOVERY OF RS. 4,00,000/-(Four lakh only) UNDER ORDER VII RULE (1), (2) CPC READ
WITH SECTION 26 OF CPC

The plaintiff above named most respectfully states as follows:-

1. That address of the Plaintiff for the purpose of service of summons, notice and etc is as stated in the cause title
and he may also be served through his counsels Sri. Manju Ramesh, K. R.Chandra Shekhar Gowda, Preethi
Advocates, Legal Eye Associates, #1/3-2B, 2nd Floor, SM Complex, Near RR Nagar Metro Station, Mysore
Road, Bengaluru 560039.

2. The address of the defendant for the above said purposes is as given in the cause title supra.

3. The Plaintiff, Mr. Rithvik, is a resident of Maruthi Nagar, Bangalore, Karnataka, and a school teacher by
profession.

4. The Plaintiff enjoys a longstanding acquaintance with the Defendant, Mr. Yogesh, who also resides in
Bangalore. The parties, over time, developed a relationship of trust and mutual understanding.

5. In or about the month of October, the Defendant approached the Plaintiff seeking financial assistance in the
form of a personal hand loan. The Defendant explained that he required the sum of Rs. 4,00,000/-(Rupees
Four Lakhs only) to meet urgent personal financial commitments. Owing to the cordial relationship and
based on the assurances of prompt repayment made by the Defendant, the Plaintiff agreed to advance the
loan.
PRAYER

WHEREFORE, the Plaintiff prays that this Hon'ble Court be pleased to pass a decree in favor of the Plaintiff and
against the Defendant for:

a) Recovery of Rs. 4,00,000/- (Rupees Four Lakhs only) as the principal amount lent by the Plaintiff to the
Defendant;

b) Interest at the rate of 18% per annum on Rs. 4,00,000/- from the date of the promissory note, i.e., 20-OCT-
2020, until the date of realization;

c) Costs of the suit, including court fees, legal fees, and other charges incurred by the Plaintiff in prosecuting this
litigation;

d) Any other reliefs this Hon'ble Court may deem fit and proper under the facts and circumstances of the case.

VERIFICATION:

I, Mr. Rithvik, son of Prabhakar Reddyaged about 40 years, residing at Maruthi Nagar, Bangalore, Karnataka, do
hereby solemnly affirm and state that the contents of paragraphs 1 to 11 of the plaint are true to the best of my
knowledge, belief, and understanding.

Verified at Bangalore, Karnataka, on this 20th day of October, 2024.

Place: Bangalore
Date:20 October, 2024

Plaintiff:
(Signed) Mr. Rithvik

MEMORANDUM OF PLAINT FILED UNDER ORDER VII RULE (1), (2) CPC READ WITH SECTION 26
OF CPC

VERIFICATION AFFIDAVIT:

ANNEXURES:

Document 1: Copy of the Promissory Note executed by the Defendant.


Document 2: Plaintiff’s demand notice dated 20-OCT 2023.
Document 3: Correspondence, reminders from the Plaintiff to the Defendant.

Draft a Written Statement based on the facts of plaint mentioned above.

IN THE COURT OF THE HON'BLE CITY CIVIL JUDGE AT BANGALORE


O.S. No. 893 of 2024

MEMORANDUM OF WRITTEN STATEMENT OF DEFENDANT UNDER ORDER VIII RULE 1 OF THE


CODE OF CIVIL PROCEDURE, 1908

Mr. Yogesh,
S/o Gajendra Naik
Aged about 56 years,
Residing at Gangaram Palya
Bangalore, Karnataka, PIN Code - 560083. ...Defendant

VERSUS
Mr. Rithvik,
S/o Prabhakar Reddy
Aged about 40 years,
Residing at Maruthi Nagar
Bangalore, Karnataka, PIN Code - 560093. ...Plaintiff

The Defendant, above named, most respectfully submits the following Written Statement:

PRELIMINARY SUBMISSIONS:

1. Admissions and Denials:


At the outset, the Defendant denies each and every allegation contained in the plaint, except where
expressly admitted in this Written Statement. The Defendant submits that the suit, as filed by the Plaintiff,
is baseless and without merit and therefore should be dismissed.

2. No Cause of Action:
The Defendant asserts that the Plaintiff has failed to disclose any valid cause of action. The suit lacks legal
merit and is filed with ulterior motives. Consequently, it is liable to be dismissed in limine.

3. No Loan Transaction:
The Defendant submits that no loan transaction took place between the Plaintiff and the Defendant as
alleged in the plaint. The Defendant clarifies that the amount given by the Plaintiff was, in fact, a charitable
donation intended for a registered organization. This purpose was explicitly explained to the Plaintiff at the
time, with no indication that the amount was a loan or would require repayment.

PARAWISE REPLY TO THE PLAINT:

1. Re: Para 1 & 2 of the Plaint (Details of Plaintiff and Defendant):


The Defendant does not dispute the addresses provided by the Plaintiff and Defendant as stated in the
plaint.

2. Re: Para 3 of the Plaint (Relationship between Plaintiff and Defendant):


The Defendant admits to a longstanding acquaintance with the Plaintiff. However, this acquaintance did not
give rise to any financial transaction or loan arrangement, as alleged by the Plaintiff.

ADDITIONAL SUBMISSIONS:

PRAYER:

WHEREFORE, in view of the aforesaid submissions, the Defendant respectfully prays that this Hon'ble Court be
pleased to:

a) Dismiss the suit filed by the Plaintiff with costs, as it is frivolous, vexatious, and devoid of merit;
b) Award compensatory costs under Section 35A of the Code of Civil Procedure, 1908, to the Defendant for the false
and malicious suit filed by the Plaintiff; and
c) Grant such other and further reliefs as this Hon'ble Court may deem fit and proper under the facts and
circumstances of the case.

VERIFICATION:
I, Mr. Yogesh, son of Gajendra Naik, aged about 56 years, residing at Gangaram Palya, Bangalore, Karnataka, do
hereby solemnly affirm that the contents of the above paragraphs are true to the best of my knowledge and belief,
and nothing material has been concealed therefrom.

Verified at Bangalore, Karnataka, on the 30th day of October, 2024.

Defendant:
(Signed) Mr. Yogesh

Counsel for the Defendant:


Sri. Pramod Rajaram
Advocate

Mr. Arun is the absolute owner of land bearing no 21 and planted mango trees.

Mr. Roopesh is interfering into the peaceful possession and trying to cut off mango fruits.

Arun wants to restrain Mr.Roopesh not to interfere in his peaceful Possession and Enjoyment of his property rights.

Prepare Interlocutory Application for getting Injunction Order.

IN THE COURT OF THE HON'BLE CITY CIVIL JUDGE AT BANGALORE

I.A. No._____ of 2024


(In O.S. No. _____ of 2024)

Mr. Arun,
S/o Kumarappa
Residing at Kaveri Layout,

Bangalore, Karnataka. ...Applicant/Plaintiff

VERSUS

Mr. Roopesh,
S/o Narayana,
Residing at Chikkasandra,

Bangalore, Karnataka. ...Respondent/Defendant

INTERLOCUTORY APPLICATION UNDER ORDER XXXIX RULES 1 AND 2 READ WITH SECTION
151 OF THE CODE OF CIVIL PROCEDURE, 1908

The Applicant above-named most respectfully submits as follows:

1. Facts of the Case:

1. The Applicant, Mr. Arun, is the absolute owner and in peaceful possession of land bearing Plot No. 21, situated
at _______________, Bangalore, Karnataka (hereinafter referred to as "the Suit Property").

2. Grounds for Relief:

4. irreparable harm.

3. Prayer:
WHEREFORE, the Applicant prays that this Hon'ble Court be pleased to:

a) Grant a temporary injunction restraining the Respondent, his agents, servants, or anyone claiming through him,
from interfering with the peaceful possession and enjoyment of the Suit Property, including cutting or taking away
the mango fruits, pending disposal of the suit; and

b) Grant such other and further reliefs as this Hon'ble Court deems fit and proper in the interest of justice and equity.

4. Verification Affidavit:

I, Mr. Arun, son of Kumarappa, aged about 39 years, residing at Kaveri Layout, Bangalore, Karnataka, do hereby
solemnly affirm and state as follows:

1. That I am the Applicant in the above-mentioned application and am fully conversant with the facts of the
case.

2. That the contents of the Interlocutory Application from paragraphs 1 to 5 are true to the best of my
knowledge, belief, and information.

3. That I have not suppressed any material facts and that the documents relied upon by me in support of this
application are genuine and correct to the best of my knowledge.

4. That I verify that the contents of the Interlocutory Application as well as the facts mentioned in the
attached documents are true and correct.

DEPONENT:
(Signed) Mr. Arun

VERIFICATION:

I, Mr. Arun, the above-named deponent, do hereby verify that the statements made in the affidavit are true and
correct to the best of my knowledge, belief, and information. No part of it is false, and nothing material has been
concealed therein.

Verified at Bangalore, Karnataka, on this __ day of October, 2024.

DEPONENT:
(Signed) Mr. Arun

Counsel for the Applicant:


Sri. _____________
Advocate

Smt. Manjula obtained a decree in her favor against the defendant Ramesh in O.S. No. 1234/18 for the handing
possession of lands along with mensprofit decree amount.

The defendant failed to hand over possession and mensprofit. Prepare Execution Petition.

IN THE COURT OF THE HON'BLE CITY CIVIL JUDGE AT BANGALORE

Execution Petition No. _____ of 2024


(In O.S. No. 1234 of 2018)

Smt. Manjula,
W/o _______________,
Residing at _______________, Bangalore, Karnataka.
...Decree Holder

VERSUS

Ramesh,
S/o _______________,
Residing at _______________, Bangalore, Karnataka.
...Judgment Debtor

EXECUTION PETITION UNDER ORDER XXI RULE 11(2) READ WITH SECTION 36 OF THE CODE
OF CIVIL PROCEDURE, 1908

The Petitioner/Decree Holder, Smt. Manjula, most respectfully submits as follows:

1. Facts of the Case:

1. The Decree Holder, Smt. Manjula, filed a suit in O.S. No. 1234/18 before this Hon'ble Court for the recovery of
possession of land bearing Plot No. ____, situated at _______________, Bangalore, Karnataka, and for mesne
profits from the Judgment Debtor, Ramesh.

2. Prayer for Execution:

In light of the above facts, the Decree Holder prays that this Hon'ble Court be pleased to:

a) Execute the decree by issuing appropriate orders directing the Bailiff of this Hon'ble Court to take possession
of the suit land bearing Plot No. ___, situated at _______________, Bangalore, Karnataka, from the Judgment
Debtor and hand over possession to the Decree Holder;

b) Attach the properties of the Judgment Debtor, sufficient to satisfy the decree for mesne profits as directed by
this Hon'ble Court, and issue orders for the recovery of the mesne profits from the Judgment Debtor;

c) Issue warrants of arrest and detention in civil prison against the Judgment Debtor in the event of continued non-
compliance with the decree passed by this Hon'ble Court;

d) Grant costs of this execution petition and such other and further reliefs as this Hon'ble Court deems fit in the
interest of justice and equity.

3. Details of the Judgment Debtor:

Judgment Debtor:
Ramesh,
S/o _______________,
Residing at _______________, Bangalore, Karnataka.

Details of the Judgment Debtor’s assets and properties, if known, are as follows:

(Provide details of any known properties of the Judgment Debtor, if available.)

4. Limitation:

The present petition is within the period of limitation as prescribed by law, as the decree was passed on
_______________.

5. Verification Affidavit:

I, Smt. Manjula, wife of _______________, aged about __ years, residing at _______________, Bangalore,
Karnataka, do hereby solemnly affirm and state as follows:

1. That I am the Decree Holder in the above Execution Petition and am fully conversant with the facts of the
2. .

Verified at Bangalore, Karnataka, on this __ day of October, 2024.

DEPONENT:
(Signed) Smt. Manjula

Counsel for the Decree Holder:


Sri. _______________
Advocate

Mr. Ganesh is a tenant and Mr. Madan is a house owner, he leased his house to Ms. Ganesh, on a monthly rent basis
for 11 months.

After expiry of 11 months he did not choose to vacate the premises. Mr. Madan wanted to issue a notice. Draft a
Legal Notice.

LEGAL NOTICE

Dated: [Insert Date]

From:
Sri. Madan
S/o _______________,
Residing at _______________,
Bangalore, Karnataka.
...Owner/Lessor

To:
Mr. Ganesh
S/o _______________,
Residing at _______________,
Bangalore, Karnataka.
...Tenant/Lessee

Subject: Legal Notice for Eviction of Premises and Recovery of Rent Dues

Dear Mr. Ganesh,

Under the instructions and authority of my client, Mr. Madan, son of _______________, residing at
_______________, Bangalore, I hereby issue you the following legal notice:

1. Lease Agreement and Expiry:


You, Mr. Ganesh, entered into a lease agreement with my client, Mr. Madan, for renting his residential
premises located at [insert address of the leased property], Bangalore, on a monthly rental basis. The lease
agreement was for a fixed period of 11 months commencing from [insert start date] and expiring on [insert
end date].

2. Monthly Rent and Deposit:


As per the terms of the lease, you were paying a monthly rent of Rs. [insert rent amount] and had deposited
a security deposit of Rs. [insert deposit amount], refundable upon vacating the premises after adjusting any
pending dues, if applicable.
3. Failure to Vacate the Premises:
Despite the expiry of the lease period on [insert end date], you have failed to vacate the premises and
continue to occupy the property without any legal authority. My client has made several oral and written
requests, demanding that you vacate the premises and hand over peaceful possession of the property.
However, you have chosen not to comply with these requests and remain in unauthorized possession of the
property.

4. Dues and Damages:


As of this notice, you are liable to pay the outstanding rent for the period beyond the expiry of the lease. In
addition to this, you are also liable for damages for your illegal occupation of the property, which my client
reserves the right to recover in due course.

5. Demand to Vacate:
Through this notice, you are hereby called upon to vacate the premises and hand over peaceful possession
of the same to my client within 15 days from the receipt of this notice. Failure to do so will compel my
client to initiate appropriate legal proceedings against you for eviction, recovery of rent arrears, damages
for illegal occupation, and other reliefs as may be necessary.

6. Legal Consequences:
In the event of your failure to comply with this notice within the stipulated time period, my client shall be
constrained to file an appropriate suit for your eviction, along with recovery of the arrears of rent and
damages for illegal occupation. You will be held liable for all costs, legal fees, and other expenses incurred
by my client in pursuing legal action against you.

I advise you to take immediate action in compliance with this notice and avoid unnecessary legal proceedings. This
notice is being sent to you without prejudice to my client’s other legal rights and remedies available under law.

You are requested to treat this notice with utmost seriousness and act accordingly.

Yours sincerely,
[Your Name]
Advocate

Bangalore, Karnataka.

Verification:

I, Sri. Madan, S/o _______________, aged __ years, residing at _______________, Bangalore, Karnataka, do
hereby verify and state that the contents of the above legal notice are true and correct to the best of my knowledge
and belief.

Verified at Bangalore on this __ day of October, 2024.

Sri. Madan
(Signature)

Mr. Maltesh and Mrs. Yuvani Maltesh husband and wife, wife deserted husband without any reasonable cause.
Husband wants to file divorce. Draft a Divorce Petition.

IN THE FAMILY COURT AT [CITY]

Matrimonial Petition No. _____ of 2024

Mr. Maltesh,
S/o _______________,
Residing at _______________,
Bangalore, Karnataka.
...Petitioner/Husband

VERSUS

Mrs. Yuvani Maltesh,


D/o _______________,
Residing at _______________,
Bangalore, Karnataka.
...Respondent/Wife

PETITION FOR DISSOLUTION OF MARRIAGE UNDER SECTION 13(1)(ib) OF THE HINDU


MARRIAGE ACT, 1955

The Petitioner, Mr. Maltesh, most respectfully submits as follows:

(Signature)

Counsel for the Petitioner


Sri. _______________
Advocate

Mr. Subramani book dealer and supplying books to various dealers and entered into a dealership to supply books
with Mr. Kamalesh.

Mr. Kamalesh ordered 1000 books worth of Rs. 2, 00,000/- (Rs. Two Lakh) and issued an account payee cheque
towards the amount.

On the presentation of the said cheque, the Bank issued the endorsement stating "INSUFFICIENT FUND".

Draft Private Compliant (Cheque Bounce case).

IN THE COURT OF [JURISDICTIONAL MAGISTRATE], [CITY]

Complaint No. _______ of 2024

Mr. Subramani,
S/o _______________,
Aged about __ years,
Residing at _______________,
[City, State].
...Complainant

VERSUS

Mr. Kamalesh,
S/o _______________,
Aged about __ years,
Residing at _______________,
[City, State].
...Accused

COMPLAINT UNDER SECTION 138 OF THE NEGOTIABLE INSTRUMENTS ACT, 1881

The Complainant, Mr. Subramani, most respectfully submits as follows:


6. Prayer:

In light of the facts and circumstances mentioned above, the Complainant prays that this Hon’ble Court be pleased
to:

a) Take cognizance of the offense under Section 138 of the Negotiable Instruments Act, 1881, committed by the
Accused;

b) Summon the Accused to appear before this Hon'ble Court and try him for the offense under Section 138 of the
Negotiable Instruments Act, 1881;

c) Pass such orders as this Hon’ble Court may deem fit and proper in the interest of justice.

Verification:

I, Mr. Subramani, S/o _______________, aged about __ years, residing at _______________, [City], do hereby
verify and state that the contents of the above complaint are true and correct to the best of my knowledge and belief.

Verified at [City] on this __ day of October, 2024.

Complainant
(Signature)

Counsel for the Complainant


Sri. _______________
Advocate

Mr. Satish, Driving a car on Magadi Main Road. Mr. Natesh driving a car in the opposite direction rashly and
negligently at high speed hit Mr. Satish.

Satish sustained grievous injuries and underwent medical treatment. He wants to file a compensation case. Draft a
Motor Vehicle Accident Petition.

IN THE MOTOR ACCIDENT CLAIMS TRIBUNAL AT [CITY]

M.V.C. No. _____ of 2024

Mr. Satish,
S/o _______________,
Aged about __ years,
Residing at _______________,
[City, State].
...Petitioner

VERSUS

1. Mr. Natesh,
S/o _______________,
Aged about __ years,
Residing at _______________,
[City, State].
...Respondent No.1 (Driver of the offending vehicle)

2. [Insurance Company Name],


Branch Office at _______________,
[City, State].
...Respondent No.2 (Insurer of the offending vehicle)

PETITION UNDER SECTION 166 OF THE MOTOR VEHICLES ACT, 1988 FOR COMPENSATION

The Petitioner, Mr. Satish, most respectfully submits as follows:

8. Prayer:

In light of the above facts and circumstances, the Petitioner prays that this Hon'ble Tribunal be pleased to:

d) Pass any other order(s) as this Hon'ble Tribunal deems fit and proper under the circumstances of the case.

Verification:

I, Mr. Satish, S/o _______________, aged about __ years, residing at _______________, [City], do hereby verify
and state that the contents of the above petition are true and correct to the best of my knowledge and belief.

Verified at [City] on this __ day of October, 2024.

Petitioner
(Signature)

Counsel for the Petitioner


Sri. _______________
Advocate

Mrs Anitha Assistant Accountant in MESCOM Department.

She has been suspended from the work without any reasonable grounds by the Chief Accountant not having any
power.

She wants to file a writ petition questioning the authority of the Chief Accountant.

Draft a Writ of Mandamus.

IN THE HIGH COURT OF [STATE] AT [CITY]

WRIT PETITION NO. ____ OF 2024 (Mandamus)

In the matter of:


Mrs. Anitha,
D/o _______________,
Aged about __ years,
Assistant Accountant,
MESCOM Department,
Residing at _______________,
[City, State].
...Petitioner

VERSUS

1. Chief Accountant,
MESCOM Department,
[City, State].
...Respondent No.1
2. The Managing Director,
MESCOM Department,
[City, State].
...Respondent No.2

3. The State of [State],


Through the Secretary,
Department of Energy,
[Address].
...Respondent No.3

PETITION UNDER ARTICLE 226 OF THE CONSTITUTION OF INDIA FOR ISSUANCE OF WRIT OF
MANDAMUS

The Petitioner, Mrs. Anitha, most respectfully submits as follows:

1. Facts of the Case:

2. Grounds for Filing the Writ Petition:

Verification:

I, Mrs. Anitha, D/o _______________, aged about __ years, residing at _______________, [City, State], do hereby
verify and state that the contents of this petition are true and correct to the best of my knowledge and belief.

Verified at [City] on this __ day of October, 2024.

Petitioner
(Signature)

Counsel for the Petitioner


Sri. _______________
Advocate

Mr. Bharath, a defendant in O.S. No.331345/2019.

The learned Civil Judge passed a Decree and Judgment against the defendant for handing over the possession of
building bearing no.302 in Kuvempu Nagar to the plaintiff.

Aggrieved by the Judgment and Decree Mr. Bharath wanted to prepare an appeal.

Draft Civil Appeal to High Court of Karnataka.

IN THE HIGH COURT OF [STATE] AT [CITY]

WRIT PETITION NO. ____ OF 2024 (Mandamus)

In the matter of:


Mrs. Anitha,
D/o _______________,
Aged about __ years,
Assistant Accountant,
MESCOM Department,
Residing at _______________,
[City, State].
...Petitioner
VERSUS

1. Chief Accountant,
MESCOM Department,
[City, State].
...Respondent No.1

2. The Managing Director,


MESCOM Department,
[City, State].
...Respondent No.2

3. The State of [State],


Through the Secretary,
Department of Energy,
[Address].
...Respondent No.3

PETITION UNDER ARTICLE 226 OF THE CONSTITUTION OF INDIA FOR ISSUANCE OF WRIT OF
MANDAMUS

The Petitioner, Mrs. Anitha, most respectfully submits as follows:

5. Jurisdiction:

This Hon’ble Court has the jurisdiction to entertain and adjudicate this writ petition as the impugned order of
suspension was issued by Respondent No.1, who is based in [City, State], and the Petitioner is employed in the
MESCOM Department located within the territorial jurisdiction of this Hon’ble Court.

Verification:

I, Mrs. Anitha, D/o _______________, aged about __ years, residing at _______________, [City, State], do hereby
verify and state that the contents of this petition are true and correct to the best of my knowledge and belief.

Verified at [City] on this __ day of October, 2024.

Petitioner
(Signature)

Counsel for the Petitioner


Sri. _______________
Advocate

Mr Sumanth is arrested for the offense under section 498 of IPC.

He wants to file a bail application. Prepare Bail Application.

IN THE COURT OF THE SESSIONS JUDGE AT [CITY]

CRIMINAL MISCELLANEOUS PETITION NO. ____ OF 2024

In the matter of:


Mr. Sumanth,
S/o _______________,
Aged about __ years,
Residing at _______________,
[City, State].
...Petitioner/Accused

VERSUS

State of [State],
Through the Police Station,
[Name of Police Station],
[City, State].
...Respondent

APPLICATION FOR GRANT OF BAIL UNDER SECTION 437 OF THE CODE OF CRIMINAL
PROCEDURE, 1973

The Petitioner above-named most respectfully submits as follows:

1. Facts of the Case:

3. Prayer:

In light of the above facts and circumstances, the Petitioner prays that this Hon'ble Court be pleased to:

a) Grant bail to the Petitioner in connection with the case registered under Section 498 of the IPC at [Police Station
Name], in Crime No. __/2024, and direct his release on bail on such terms and conditions as this Hon’ble Court
deems fit and proper; and

b) Pass such other order(s) as this Hon’ble Court may deem fit and proper in the interests of justice.

Verification:

I, Mr. Sumanth, the Petitioner above named, do hereby verify that the contents of the above bail application are true
and correct to the best of my knowledge and belief.

Verified at [City] on this __ day of October, 2024.

Petitioner
(Signature)

Counsel for the Petitioner


Sri. _______________
Advocate

Mrs. Hemashree Purchased a branded Washing Machine with Jaiann showroom.

After the delivery of the said washing Machine. Mrs.Hemasheree noticed that the Washing Machine is not in
working condition.

Mrs. Hemashree wants to claim compensation. Draft a Consumer Petition for deficiency of goods.

IN THE HON'BLE CONSUMER DISPUTES REDRESSAL FORUM AT [CITY]

Consumer Case No. ____ of 2024

In the matter of:


Mrs. Hemashree,
W/o _______________,
Aged about __ years,
Residing at _______________,
[City, State].
...Complainant

VERSUS

Jaiann Showroom,
Through its Proprietor,
[Address of Jaiann Showroom],
[City, State].
...Opposite Party

CONSUMER PETITION UNDER SECTION 12 OF THE CONSUMER PROTECTION ACT, 2019 FOR
DEFICIENCY IN SERVICE

Most respectfully showeth:

1. Facts of the Case:

4. Verification:

I, Mrs. Hemashree, the Complainant above named, do hereby verify that the contents of the above petition are true
and correct to the best of my knowledge and belief.

Verified at [City] on this __ day of October, 2024.

Complainant
(Signature)

Counsel for the Complainant


Sri. _______________
Advocate

The Session Judge passed the Conviction order on the grounds that the prosecution proved the case against the
accused offense punishable under section 302 of IPC.

Aggrieved by the Judgment the Accused wants to prefer an appeal. Prepare Criminal Appeal to the High Court of
Karnataka.

IN THE HIGH COURT OF KARNATAKA AT BANGALORE

CRIMINAL APPEAL NO. ____ OF 2024

In the matter of:

Mr. [Name of the Appellant],


S/o _______________,
Aged about __ years,
Residing at _______________,
[City, State].
...Appellant/Accused

VERSUS
State of Karnataka,
Through the Police Station,
[Name of Police Station],
[City, State].
...Respondent/Complainant

MEMORANDUM OF CRIMINAL APPEAL UNDER SECTION 374(2) OF THE CODE OF CRIMINAL


PROCEDURE, 1973

The Appellant above-named most respectfully submits this Criminal Appeal against the Judgment and Conviction
Order passed by the Hon’ble Sessions Judge, Court of [District], in S.C. No. ____ of 2024, convicting the
Appellant for an offense punishable under Section 302 of the Indian Penal Code, 1860, and in support thereof
states as follows:

3. Prayer:

In view of the facts and grounds stated above, the Appellant prays that this Hon'ble Court be pleased to: a) Set aside
the Judgment and Conviction Order passed by the learned Sessions Judge, Court of [District], in S.C. No. ____ of
2024, convicting the Appellant under Section 302 of IPC; b) Acquit the Appellant of all charges under Section 302
of IPC; c) Pass any other orders or reliefs as this Hon’ble Court may deem fit and proper in the interest of justice.

4. Interim Prayer:

Pending the hearing and final disposal of this appeal, the Appellant prays that this Hon'ble Court may be pleased to:
a) Suspend the sentence passed against the Appellant by the learned Sessions Judge and release the Appellant on
bail; and b) Pass such other orders as this Hon'ble Court may deem fit in the interests of justice.

Verification:

I, Mr. [Name of Appellant], the Appellant above named, do hereby verify that the contents of the above Criminal
Appeal are true and correct to the best of my knowledge and belief.

Verified at [City] on this __ day of October, 2024.

Appellant
(Signature)

Counsel for the Appellant


Sri. _______________
Advocate

Green Grancy People Forum working for environmental protection. They opposed opening up of factories within
the residential limits.

But the factory started manufacturing products which led to Air pollution and affected the health of the people in
that vicinity.

Green Grancy wants to prefer a Special Leave Petition to the Supreme Court of India.

Prepare SLP Petition.

IN THE SUPREME COURT OF INDIA

(Civil Appellate Jurisdiction)

SPECIAL LEAVE PETITION (CIVIL) NO. ___ OF 2024


(Under Article 136 of the Constitution of India)

IN THE MATTER OF:


Green Grancy People Forum,
Through its President/Secretary,
[Address of the Forum],
Bangalore, Karnataka.
...Petitioner

VERSUS

[Name of the Factory/Company],


Having its Registered Office at
[Address],
Bangalore, Karnataka.
...Respondent

SPECIAL LEAVE PETITION UNDER ARTICLE 136 OF THE CONSTITUTION OF INDIA

To,
The Hon'ble Chief Justice of India
And His Companion Justices
Of the Hon'ble Supreme Court of India
At New Delhi.

The humble petition of the petitioner above named:

of environmental justice and the precautionary principle.

4. Prayer:

In view of the facts and grounds stated above, the Petitioner humbly prays that this Hon’ble Court be pleased to:

a) Grant special leave to appeal against the judgment and order dated [date] passed by the National Green
Tribunal, Bangalore Bench, in Application No. [NGT Application Number];

b) Stay the operation of the Respondent’s factory until compliance with all environmental laws and safety standards
is established;

c) Direct the Respondent to take adequate measures to mitigate air pollution and restore environmental balance in
the affected area;

d) Pass such other orders or reliefs as this Hon’ble Court may deem fit and proper in the interest of justice.

5. Interim Prayer:

Pending the final hearing and disposal of this petition, the Petitioner prays that this Hon'ble Court may be pleased to:

a) Grant an interim stay on the operations of the Respondent’s factory;

b) Pass any such further orders that this Hon’ble Court deems fit in the interest of justice.

Verification:

I, [Name], President/Secretary of Green Grancy People Forum, the Petitioner above named, do hereby verify that
the contents of this Special Leave Petition are true and correct to the best of my knowledge and belief.

Verified at [City] on this __ day of October, 2024.

Petitioner
(Signature)
Counsel for the Petitioner
Sri. _______________, Advocate

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