District Court Drafting

Application For Cancellation of NBW issued against the Accused Person

IN THE COURT OF ______ JUDGE AT ______
CRIMINAL COMPLAINT NO. ______ OF 20__
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Application For Cancellation of NBW issued against the Accused Person.



IN THE COURT OF _______________ JUDGE AT _______________
CRIMINAL COMPLAINT NO _________ OF 20__

IN THE MATTER OF

ABC                                                                                …Complainant

VERSUS

XYZ                                                                                …Accused

Under Section __ of IPC

P.S.______________

Last Date of Hearing: ____________

Next Date of Hearing : ___________

APPLICATION FOR CANCELLATION OF NON BAILABLE WARRANT DATED __________ ISSUED AGAINST ___________________

MOST RESPECTFULLY SHOWETH:

1. That the above mentioned case is pending trial before this Hon'ble Court and the same is fixed for _____ for the appearance of the accused.

2. That earlier hearing of the case was fixed for ______. On that day the accused was admitted in ____________ hospital due to ___________ decease. Copy of the medical certificate dated ______ is annexed herewith as Annexure A.

3. The matter was called and the accused was marked absent and Non Bailable Warrant was issued against him by this Hon'ble Court on account of his non- appearance.

4. That the accused is a law abiding citizen and has been very punctual in attending earlier dates of the proceedings before this Hon'ble Court.

5. That the absence on the part of the accused on the said dates was thus neither willful nor intentional but due to the above said reason and circumstances, which was beyond his control.

6. That the applicant undertakes to be very punctual on all the future dates of hearings and will not repeat such mistake.

PRAYERS

In view of the aforesaid facts and circumstance of this case, it is most respectfully prayed that the Hon'ble court may be pleased:

1. Cancel the Non Bailable Warrant dated ____issued against the accused in the interest of justice.

2. To pass any other or further order (s) as this court may deem fit and proper in favour of applicant, in the interest of justice.

 

APPLICANT

THROUGH

COUNSEL



Legal Notice for 138 N.I Act Cases

IN THE COURT OF ______ JUDGE AT ______
CRIMINAL COMPLAINT NO. ______ OF 20__

HEADING

ADVOCATESAND LEGAL CONSULTANTS

Office: Address

Contact No-XYXYXYXYX

 

Speed Post

To,                                                                                 Dated:

Name Of the Accused

Office at: Address either

Office or Residential.

 

Sir,

          Under instructions from and on behalf of our client Name of your Client, having its office at Address of the Office/Resident, do hereby serve upon you with the following notice:-

 

1.            That our client is the permanent resident of the address stated above, having roots in society.

 

2.            That our client is dealing in the business of custom clearance and Shipping from last so many years.

 

3.            That since last many years our client has a business terms with you the above addressee and our client has given services of custom clearance and freight as per your order and direction.

 

4.            That On 17.12.2018 aforesaid services duly received/taken by you the above address, my client had issued invoice no. 1126/2018-19 dated 17.12.2018 and the same has been confirmed by you the above addressee to our client. It is further submitted that as per the business practice you the above addressee are required to make the payment above said invoice within one months.

 

5.            That after one month, our client regularly requested you the above addressee to pay the outstanding amount against aforesaid invoice bill no.1126/2018-19 but you the above addressee on one pretext and another took time from our client and making fool of our client.

6.            That after much deliberation and persistent request by my client than in discharge of your liability you the above addressee had issued cheque bearing no.775507 dated 15.04.2020 for a sum  amount of Rs. 25,790/- (Rs.Twenty Five Seven Hundred Ninety Only) drawn on Name of the Bank, address of the bank, Pin code- 401202 in favour of my client. At the time of issuing the aforesaid cheque you assured my client that the cheque would be encashed on presentation.

 

7.            That as per your instructions our client presented the aforesaid cheque bearing no.775507 dated 15.04.2020 for an amount of Rs. 25,790/- (Rs. Twenty Five Thousand Seven Hundred Ninety Only) drawn on Name of the Bank, Address of the Branch, Pincode- 401202 at Name of the bank where cheque presented in his bank account namely Name of the Bank branch where cheque presented with address , the same were returned unpaid with the remark “FUNDS INSUFFICIENT” vide returning memo dated 10.07.2020.

 

8.            That when my client approached you with the memo, you did not pay any heed to my client and repeated requests were made by my client for the payment but you straight away refused for the payment and made one excuse or the other.

 

9.            That the above facts make it abundantly clear that you had issued the aforesaid cheque with ulterior motives and designs, knowing fully well that the said cheque would not be honored on its presentation.

 

10.         That on account of the above facts, you are liable to be prosecuted under section 138 of the Negotiable Instrument Act, 1881 as amended upto date read with section 420 of the India Penal Code, under which you are liable to be punished with imprisonment which may extend to two years or with fine which may extend to twice the amount of the cheque or with both.

 

Under the circumstances, I call uponyou to make the payment of  Rs. 25,790/-  (RupeesTwenty Five Thousand Seven Hundred Ninety Only) being the principal amount of the aforesaid cheque with interest of 2% as per term and condition mention upon the invoice billand a sum of Rs.11,000/- towards legal expenses within fifteen days of the receipt of this notice, failing which my client shall be constrained to initiate appropriate legal proceeding against you in the court of law and in that event you shall be liable for all costs and consequences and I have already been given instructions to this effect.

 

This is without prejudice to all other legal rights and remedies available to my client for the above-stated purpose.

Copy of this notice is retained in my office for further action if required.

 

 

(Name of the Advocate/Firm)

Advocates

 




Amended memo of Party Under Section 151 CPC

IN THE COURT OF ______ JUDGE AT ______
CRIMINAL COMPLAINT NO. ______ OF 20__
                            

 IN THE HON’BLE  COURT OF SH.                 , LD. ADJ, ROHINI COURTS, DELHI

 

CIVIL SUIT No.2 OF 2022

IN THE MATTER OF :

 

ABC                                                                      …PLAINTIFF

VERSUS

 

XYZ                                                                      …DEFENDANT

 

 NDOH:XXXXXXX

APPLICATION SEEKING PERMISSION TO PLACE ON RECORD THE AMENDED MEMO OF PARTIES

 

Most Respectfully Showeth:-

1.            That the above noted case is pending before this Hon’ble court for adjudication and is now fixed for XXXXXXX.

2.            That the Applicant/Petitioner want to file the amended memo of parties.

3.          That now the applicant/Petitioner wants to place on record the amended memo of parties.

P R A Y E R:-

              It is, therefore, most respectfully prayed that this Hon’ble court may kindly be pleased to allow the applicant/Petitioner to wants to place on record the amended memo of parties, in the interest of justice and equity.

 

APPLICANT/PETITIONER

                                      

 THROUGH

COUNSEL

(ABC AND ASSOCIATES)

DELHI                                                                                       ADVOCATES

DATED: __XX.2022                                     

 

IN THE HON’BLE  COURT OF SH.                 , LD. ADJ, ROHINI COURTS, DELHI

 

CIVIL SUIT No.2 OF 2022

IN THE MATTER OF :

 

ABC                                                                      …PLAINTIFF

VERSUS

 

XYZ                                                                      …DEFENDANT

 

 

AMENDED MEMO OF PARTIES

 

RUKSAR (AGED 24 Y)

W/O Mohd. Shahid

R/O 726, A Block J.J Colony,

Bawana, North-West, Delhi-110039                                  …PLAINTIFF

 

                                                VERSUS

 

Mohd. Shahid (Husband)

S/o Mohd. Sahadad

R/o B-1153, Bawana, J.J.C, Delhi-110039

Mo.:                                                                                …DEFENDANT

 

 

 

 

                                                                                      PETITIONER

 

THROUGH

                                                          COUNSEL

                    (ABC AND ASSOCIATES)

DELHI                                                                                       ADVOCATES

DATED: __XX.2022                                     

                            DOWNLOAD THIS APPLICATION IN WORD

                                                           

Intimation to SHO regarding the Debarred or disowned from property

IN THE COURT OF ______ JUDGE AT ______
CRIMINAL COMPLAINT NO. ______ OF 20__

                            

Dated:__/XX/20XX

To,

THE SHO

P.S. __________,

DELHI

 

SUB:           INTIMATION IN RESPECT OF ISSUING THE PUBLIC NOTICE DATED XX.XX.20XX PUBLISHED IN VIRAAT VAIBHAV DEBARRING MY BROTHER NAMELY _____ AND HIS WIFE NAMELY ________ FROM THE PROPERTY BEARING NO. _______________________ AND ALL THE MOVABLE AND IMMOVABLE PROPERTIES AND SEVERING THE RELATIONSHIP WITH THEM.       

 

 

Respected Sir/Madam

 

I,________ S/O SH. ______ R/O ________________________

________ submitted as under:

 

1.           That I am residing at the above said address.

2.           That I out of my free will and consent and in sound state of mind without any kind of threats, pressure, force, coercion, misrepresentation from any corner has severed my all relationship with my brother namely _______ and his wife namely ________, due to continues act of atrocities, cruelties and humiliation caused to me and I have debarred them from my all movable and immovable properties by Public Notice published in News Paper Viraat Vaibhav on dated XX.XX.20XX for all legal purposes and consideration. Copy of the Public Notice is attached herewith, if my brother namely _________ and his wife namely _________ commits any illegal acts then they will be solely responsible for the same.

        Under the facts and circumstances mentioned herein above, it is therefore requested to your goodself to take the intimation and public notice published in news paper Viraat Vaibhav dated XX.XX.20XX.

 

 

DATED:__.XX.20XX

DELHI

     XYZ

S/O SH. ABC  

R/O H.NO.XXXXXXX

XXXXXXXXXX

Copy Forwarded to:

i)     The Concerned ACP.

ii)   The Concerned DCP.

iii)  The Commissioner of Police, Jai Singh Road, Connaught Place, New Delhi.

                                            Download this Application in Word Format


Application for exemption from personal appearance of the accused

IN THE COURT OF ______ JUDGE AT ______
CRIMINAL COMPLAINT NO. ______ OF 20__

 


BEFORE THE HON’BLE COURT OF SH. _______, LD. _____,COURTS, DELHI

CC No. ______/20XX

In The Matter Of:-

ABC                                                               …COMPLAINANT

    V/S

XYZ                                                              …ACCUSED

NDOH:XX.XX.20XX

 

APPLICATION SEEKING EXEMPTION FROM PERSONAL APPEARANCE ON BEHALF OF THE ACCUSED  NAMELY (Name of Accsued) FOR TODAY i.e. (Date) 

Most Respectfully Showeth:

1.           That the above noted case is pending for adjudication before this Hon’ble court and is now fixed for today i.e. (Date).

2.           That the above named accused is unable to appear before this Hon'ble Court today in person as he is suffering from acute diarrhea and is hospitalized at his native place.

3.           That the non-appearance of the above named accused is neither intentional nor deliberate, but due to the reason stated herein above.

PRAYER

            It is therefore, most respectfully prayed that this Hon’ble court may kindly be pleased to allow the present application and the above named accused may kindly be exempted from personal appearance for today, in the interest of justice and equity.

 

DELHI                                                        Applicant                         

DATED:XX.XX.20XX            

Through

                                                                                                                                COUNSEL

 



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