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1.

AFFIDAVIT IN SUPPORT OF THE PETITION (PLAINT)


I, …… Adult, aged about ………, Indian Inhabitant of Kolkata/
authorised signatory, residing at ………… / do hereby solemnly affirm
and say as under –

1 I say that I am fully conversant with the facts of the


present Petition / Complaint / Plaint and I am therefore able
to depose to the same. I have filed the above Petition /
Complaint / Suit, seeking prayers more particularly mentioned
in the Petition / Complaint / Plaint.

2 I, for the sake of brevity, repeat and reiterate each


and every statement, submissions and contentions made in the
Petition / Complaint / Plaint as if the same are specifically
set out herein and form part and parcel of this affidavit. I
affirm and verify the correctness of the each and every
statement, submissions and contentions as set out in the
Petition / Complaint / Plaint.

3 I say that if the reliefs as prayed for in the


Petition / Complaint / Plaint are not granted, would cause
great harm, loss and prejudice to the Petitioner /
Complainant / Plaintiffs. In the circumstances, the reliefs
as prayed for in the Petition / Complaint / Suit be granted
and the Petition / Complaint / Suit be made absolute with
costs.

4 In Criminal Complaints, Section 297 of CrPC stipulates


that Affidavits shall be confined to, and shall state
separately, such facts as the deponent is able to prove from
his own knowledge and such facts as he has reasonable ground
to believe to be true, and in the latter case, the deponent
shall clearly state the grounds of such belief. Therefore,
the Affidavit in support in Criminal Complaints shall clearly
state the grounds for belief for those facts which the
Complainant has “reasonable grounds to believe”.

Petitioner / Complainant / Plaintiffs

VERIFICATION
I, ________________the abovenamed Petitioner / Plaintiff No. ___ do
hereby verify the contents of what is stated in the aforesaid
paragraphs ___ to ____ are true and correct to my knowledge and I
believe it to be true and correct; and nothing stated herein is
false and nothing has been concealed.
(Solemnly affirmed at Mumbai)
This day of 20 )
Deponent
Identified / Interpreted / Explained
By me

_____________
Advocate
3.AFFIDAVIT IN SUPPORT OF WRIT PETITION

Before the Hon’ble High Court of Judicature at _______________


Writ Petition No.____________ of __________
Mr________ aged ____years, S/o Mr. _________ resident of
_______________
…..……….……….Petitioner
1. Union of India through its Secretary, Ministry of Home Affairs,
Government of India, New Delhi.
2. District Magistrate, __________________
….…………. Opposite Parties
Affidavit of Mr/Ms.________ S/o/D/o, Mr._______ aged___ years,
resident of _____________
I, the above named deponent, solemnly affirm and state on oath as
under:
1. That I am the Petitioner in the above mentioned writ petition
and am fully conversant with the facts deposed to in the Writ
Petition.
2. That the contents of paragraphs ______ to _______ of the
accompanying writ petition are true to my personal knowledge and
the contents of paragraphs ____ to _____ are based on legal advice,
which I believe to be true. No material has been concealed and no
part is false.
3. That the Annexure No(s). 1 to 10 to the accompanying writ
petition are true copies of the originals and I have compared the
said annexures with their respective originals and certify them to
be true copies thereof.
DEPONENT
Signed at _____________ this ___day of ____,
VERIFICATION
I, ________the above named deponent do hereby verify on oath that
the contents of the affidavit above are true to my personal
knowledge and nothing material has been concealed or falsely
stated. Verified at ______this ______day of _______

DEPONENT
4. AFFIDAVIT WITH STATE PETITION
IN THE HIGH COURT OF JUDICATURE AT …………………
Counter Affidavit

In

Criminal Misc. stay vacation Application No…… of 20……

In

Criminal Misc. Writ Petition No. …… of 20….

(District : ………….) Petitioner…………………………

Versus

…………………………………Respondents

Affidavit of
Mr…………………………………………………
aged about ………… years,
(Deponent)

I, the deponent named above share by solemnly affirm and state on


oath an under:

1. That the deponent is respondent No. 3 in the aforesaid case and


as such she is fully Acquainted with the facts deposed to below.

2. That the petition of Shri ……………….along with its affidavit and


annextures has been read over, translated and explained to the
deponent and she has under stood the same.

3. That the contends of paragraph 1 of the writ petition relate to


matter on record and as such need no reply.

4. That in reply to the content of para 2 of the petition, it is


stated that Shri …………………. is a practising lawyer with long standing
at ………… and as such he is will versed with the technicalities of
law and defrauding and befooling and innocent person, like the
deponent, is not a difficult, task for him.

5. That the contents of para 3 of the writ petition are not


admitted. Moreover, these contents are irrelevant for the
controversy involved in the present suit.

6. That the contents of para 4 of the writ petition are not


admitted. It is stated that the deponent's marriage with one
…………………. was not a love marriage. It was rather an arranged
marriage which on account of the cruelty of deponent's husband Shri
………………… and ill treatment mooted out by him to the deponent,
ultimately resulted in a decree of divorced.
7. That after seeking the said decree from her husband, the
deponent, as she was a law graduate, started practicing law, at
………. to earn her livelihood.

8. That as Shri ……………………. was a senior colleague of the deponent,


he started visiting the deponent's chamber off and on. Initially
he used to sympathised with the deponent and used to give
professional tips to the deponent in order to create his impression
upon her. It is specifically stated that the deponent had no
personal interest in Shri ………………… except for the fact that she used
to respect him as her senior colleague.

I, the deponent named above do hereby solemnly affirm and state


that the contents of paragraph No.s 1, 2, 3, 4, 5, 6, 7 of, this
affidavit are true to my personal knowledge; those of paragraph
Nos. 12, 22, (p) of this affidavit are based on records; those of
paragraph Nos. of this affidavit are based on legal advice, which I
believe to be true. Nothing material has been concealed and no
part of this affidavit is false.

So help me God.
(Deponent)

I, ........................ Clerk to Sri …………………., Advocate, High


Court, All do hereby declare that the deponent of this affidavit is
known to me personally.

Solemnly affirmed before me on this day of April, 20……. at ………. am/


pm by the deponent who has been identified as above.

I have satisfied myself by examining the deponents that she


understood the contents of this affidavit.

Oath Commissioner.
5.AFFIDAVIT FOR APPEAL IN HIGHER COURTS
IN THE COURT OF__________________

Versus
APPEAL_____________
APPLICATION FOR ENTERTAINING THE APPEAL WITHOUT THE CERTIFIED COPY
OF THE NOTICE UNDER SECTION _____ BEARING ITS MEMO NO. _____ DATED
_____
RESPECTFULLY SHOWETH:
1- That the applicant /appellant is filing the above mentioned
appeal _____ before this Hon’ble court.
2- That the applicant /appellant have no certified copy of the
above mentioned Memo with him and he has been filing the photocopy
of the same along with the present appeal.
3- That the applicant will deposit the certified copy of the
said Memo within the period of _____ days.
It is, therefore, prayed that the above mentioned appeal may kindly
be accepted without the certified copy of the above mentioned
Notice in the interest of justice.

Dated: _____

APPELLANT

Through Counsel
_____ Advocate, _____
6. AFFIDAVIT ALONG WITH WRITTEN STATEMENT
THE COURT OF _____
_____ Versus _____
SUIT FOR DECLARATION
Written statement on behalf of the defendant
RESPECTFULLY SHOWETH:
1- That the _____ of the plaint is correct and admitted
2- That the _____ of the plaint is correct and admitted
3- That the _____of the plaint is correct and admitted
4- That the _____of the plaint is correct and admitted
5- That the _____ of the plaint is legal
6- That the _____ of the plaint is not _____
It is therefore, prayed that the suit of the plaintiff may kindly
be decreed as prayed for in the plaint
DEFENDANT
VERIFICATION:
Verified that the contents of written statement are true and
correct to best of my belief.
Verified at _____ on _____
DEFENDANT
7. AFFIDAVIT FOR ADJOURNMENT OF CASE APPLICATIONS
IN THE COURT OF _____
In the matter of:
_____ Versus _____
FIR NO. _____
U/s _____IPC
Police Station _____
APPLICATION FOR ADJOURNMENT OF THE CASE
RESPECTFULLY SHOWETH:
1- That the above noted case is pending before this hon’ble court
and is fixed for today.
2- That the counsel of the accused is _____ from _____ and is not
in position to appear before this Hon’ble court.
3- That now the applicant wants to get adjourned the above noted
case for next date of hearing.
It is, therefore, prayed that the above noted case may kindly be
adjourned for next date of hearing
Date: _____
APPLICANT/ACCUSED
Through Counsel:
_____Advocate, _____
2.AFFIDAVIT WITH CONSUMER EXECUTION
BEFORE THE PRESIDENT DISTRICT CONSUMER REDRESSAL FORUM, _______
1- _______ son of _______
2- _______ son of _______

Both residents of _______, District _______.


…..DECREE HOLDERS /COMPLAINANTS
VERSUS
1- _______,
2- _______,

Judgement Debtors/respondents

COMPLAINT UNDER SECTION ____ OF THE CONSUMER PROTECTION ACT


EXECUTION APPLICATION

Sir,
The decree Holders most respectfully submits as under: –
1- That the complainant filed the present complaint before the
Hon’ble President District Consumer Redressal Forum, _______ on
_______, which was received by this Hon’ble Forum, vide its order
dated _______.

2- That this Hon’ble Forum was pleased to pass the order dated
_______ in the following manner :-
The complaint of the complainant is succeeded and is hereby
accepted. To satisfy the grounds of the complainant, the following
order is passed
“______________________________.”
The respondents are further ordered to comply with the order of the
Forum within ____ days after the receipt of the copy of the same.
Complaint has been disposed off accordingly. File is consigned to
the record room.

3- That since the date of passing the above mentioned order the
respondents /judgement debtors is well within the knowledge about
the above mentioned order of this Hon’ble form.

4- That the respondents have failed to comply the order dated


_______ intentionally and deliberately.

5- That the judgement debtors/respondents are liable to comply


the order of this Hon’ble Forum and further they are liable to pay
compensation of _______/- for causing business loss and mental
agony to the complainant for unnecessary harassment and non-
compliance of the order of this Hon’ble Forum. The judgement
debtors are further liable to pay a sum of _______/- as expenses of
this Execution application to the complainant/decree holder.
It is, therefore, prayed that this hon’ble Forum may graciously be
pleased to:
i) Pass an order directing the respondents comply the order
dated _______ passed by this Hon’ble Forum immediately by way of
_______ of the decree holder.

ii) Pass an order directing the respondents to pay _______/- to


the complainant for mental tension, harassment and business loss
suffered by the decree holder due to non-compliance of the order
dated _______, jointly and severally.

iii) Pass an order directing the respondent to pay a sum of


_______/- as Costs of this execution application jointly and
severally.

iv) Any other relief, which this hon’ble forum deems fit and
proper, may also kindly be granted to the complainant.

Date:_______
Place: _______
Complainant /D.H.
1- ______ son of _______
2- _______ son of _______
Through counsel:
_______ Advocate, _______
:

Verified that the contents of our above execution application are


true to best of our knowledge and belief.
Verified at _______ on ________

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