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  • IN THE COURT OF…………………………… Suit No……………………………. of 200 In the Matter of: – AB………………………………………………………….. Plaintiff versus CD………………………………………………………. Defendant Most Respectfully Showeth: – 1. That the applicant/plaintiff filed the present suit praying for issue of injunction restraining the defendant from obstructing the plaintiff from using the …………………………… (set out description). 2. That not only the plaintiff…

  • IN THE COURT OF THE……………….. Misc. Application………………… of………. 19……………….. Under Section 146 C. P. C. in Execution No…………………. of………… 19……………….. A. B………………………………………………. Decree-Holder. versus C. D…………………………………………. Judgment Debtors. The Decree-Holder most respectfully submits as under: 1. That the judgment debtor Shri……………….. of the decree aforementioned died on……………….. 19……………….. and his property has come in the…

  • IN THE COURT OF……………….. Suit No………………… of 19…………………………………. A. B. C……………………………………………………… Plaintiff versus C. D. F…………………………………………………… Defendant Respectfully showeth: 1. That the above mentioned case is fixed for trial from………………. to……………….. 19………………… The plaintiffs want to summon the following witnesses on payment of diet money and process fee, for the said dates: (1)……………….. (2)……………….. (3)………………..…

  • IN THE COURT OF THE……………….. Suit No………………… of 19…………………………………. C. D…………………………………………………………. Plaintiff versus C. F………………………………………………………. Defendant Sir, The application on behalf of the Defendants most respectfully submits as under: 1. That the suit was dismissed in default on……………….. in default of both the parties. 2. That application for restoration of the suit was moved by…

  • In the Court of…………………. Civil Misc. Application No…………..of 20……. IN Civil Misc. Writ Petition No……… of 20…… (District …….) Shri……………………………… …Petitioner Versus 1. District Magistrate ………..and others. …Respondents. To, The Hon’ble the Chief Justice and his other Companion Judges of the aforesaid Court. The humble applicant most humbly showeth as under : 1. That the…

  • IN THE COURT OF……………….. in Suit No………………… of 19…………………………………. ………………………………………………………………. Plaintiff versus ……………………………………………………………. Defendant Sir, The counter-claim of the defendant is most respectfully submitted as under: 1. That the defendant paid Rs……………….. towards House tax and Rs………………… towards water-tax of the house No………………… in occupation of the defendant as tenant of the plaintiff. 2. That…

  • IN THE COURT OF THE……………….. Suit No………………… of 19…………………………………. C. D…………………………………………………………. Plaintiff versus C. F………………………………………………………. Defendant The abovenamed plaintiff most respectfully submits as under: — 1. That the plaintiff has filed the present suit for declaration of his rights claiming himself to be a Bhumidhar of the land in dispute on the basis of a…

  • IN THE HON’BLE HIGH COURT OF……………….. LA………………… of 19……………….. in Suit No………………… of 19…………………………………. C. D…………………………………………………………. Plaintiff versus C. F………………………………………………………. Defendant May it please to your lordship The humble plaintiff most respectfully showeth as under: 1. That the plaintiff has filed the abovenoted suit against the defendant for possession and permanent injunction. 2. That the…

  • (1) TITLES OF SUITS IN THE COURT OF A.B. (add description and residence)……………….. Plaintiff, against C. D. (add description and residence)………….. Defendant . (2) DESCRIPTION OF PARTIES IN PARTICULAR CASES The Union of India or the State of ……, as the case may be. The Advocate General of The Collector of The State of The…

  • SAMPLE OF APPEAL

    IN THE HIGH COURT OF……………….. Civil Appellate Jurisdiction C. Misc………………… of 19……………….. in R. S. A. No……………………………………………… of 19…… ………………………………………………………….. Appellants. versus ……………………………………………………….. Respondents. To The Hon’ble Chief Justice and his companion judges of the Punjab and Haryana High Court: The Defendants/Respondents most respectfully submit as follows: 1. That on……………….. and others, who had purchased…