A SAMPLE OF DEED & DRAFT

CRIMINAL COMPLAINT U/S 323 & 5O4 IPC

 
IN THE COURT OF THE JUDICIAL MAGISTRATE, FIRST
CLASS,__________
 

Criminal Complaint No.___/20___

________________________________        )
________________________________        )           Complainant
________________________________        )
________________________________        )

– Vs. –

1.         ________________________________        )
2.         ________________________________        )
3.         ________________________________        )
4.         ________________________________        )

COMPLAINT U/SS 323 & 504 R/W SEC. 34 OF THE INDIAN PENAL
CODE
The complainant above named submits this complaint, praying to state as
follows :
1.That the complainant is a resident of the within mentioned address, and
the accused No. 2 is his legally wedded wife, while the accused No. 1
is her father and the accused Nos. 3 and 4 are her brothers.
2. That the complainant is originally a resident of__________________.
3.Facts
_____________________________________________________________
_____________________________________________________________
_____________________________________________________________
_____________________________________________________________
_____________________________________________________________
_____________________________________________________________
_____________________________________________________________
_____________________________________________________________
_____________________________________________________________
_____________________________________________________________
___________________________

12. That the complainant was very much ashamed of himself when such a
public scene was created by the accused, and he was, thus, tortured
by the accused physically and mentally to a great extent, and since
then, the complainant apprehends that the accused may cause danger
or commit hurt to the complainant in future also.
13. That the complainant also made a complaint-application to the
_______________Police Station, with a request to give him necessary
help and protection, which the police did.
14. That the accused have, thus, committed an offence u/s 323 and 504
R/W Sec. 34 of the Indian Penal Code within the local limits of the
jurisdiction of this court, and hence,this Hori'ble Court has right and
jurisdiction to try this complaint and punish the accused.
15. That the cause of action for this complaint first arose on_____, and the
same has since then been every day thereafter, and hence, this
complaint filed today is well within limitation.
16. That the offence has been committed within the local limits of the
jurisdiction of this Court, and hence, this Hon'ble Court has jurisdiction
to try and decide this complaint.
17. That the necessary court-fee is paid herewith.
18. That the complainant, therefore, prays that the accused be charged with
and tried for the offence punishable u/ss 323 and 504 R/W Sec. 34 of
the Indian Penal Code and punished according to law.
Place
Date
Sd/-
COMPLAINANT

Sd/-  x X x
ADVOCATE FOR COMPLAINANT

VERIFICATION
I, _____________________________, the present complainant, do
hereby state on solemn affirmation that the contents of this complaint in are
true and Correct to the best of my knowledge and belief, and so I have
signed hereunder.

Sd/-
COMPLAINANT


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