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C/o Bar Assciation Building,

Court Complex, Kalwakurthy,


C.Kirshnaiah, Nagarkurnool District-509324.
Mobile No;9440722020
Advocate

To Date: -03-2020

1. Smt Fathima Begum W/o Late Abdul Qayuum, Aged about: 70 Years Occ:
Housewife R/o H.No. 9-39, Gandhinagar, Kalwakurthy

2. Smt Asima Begum W/o Ajeemuddin, Aged about: 55 Years, Occ:


Housewife, R/o _____________Sanga Reddy

3. Smt Hajira Begum W/o Shafiulla, Aged about: 50 Years Occ: Housewife
R/o _________ Balanagar

4. Abdul Razak S/o Late Abdul Qayuum, Aged about: 45 Years Occ:
Agriculture R/o H.No. 6-51/3, Gandhinagar, Kalwakurthy .

5. Thaslima Begum W/o Shabbir, Aged about: 37 Years Occ: Housewife


R/o Adirala

6. Smt Rizwana Begum W/o Khaleem Khan, Aged about: 35 Years Occ:
Housewife R/o Kalwakurthy

BY REGD. POST WITH ACK. DUE

Under the instructions of my Client Smt Ameena Begum W/o Allaji , Aged
about : 40 Years, Occ: Housewife R/o Kalwakurthy I hereby issue this legal
notice to you as under:

1. That, my client states, you at Sl.No.1 are her mother, you at Sl.No.2, 3, 5
& 6 are her sisters and you at Sl.No. 4 and one Late Md.Jaffar are her
brothers. That the father of my client Late Abdul Qayuum, who also the
father of you at Sl.No. 2 to 6 was the owner of the following properties and
he died intestate in the year 2001, leaving behind him, my client, one Late
Md.Jaffar and all of you as his legal heirs.

Properties left over by Late Abdul Qayuum

Sl.No. Description of properties.


1 All that H.No. 6-51/4, having plinth area______sft
constructed over an extent of____ Sq.Yds including open
space of ___ Sq.yds situated at Gandhinagar Kalwakurhy
2 All that H.No. 6-51/3, having plinth area ___sft constructed
over an extent of____ Sq.Yds including open space of ___
Sq.yds situated at Gandhinagar Kalwakurhy
3 All that H.No. 9-39, having plinth area ______ constructed
over an extent of____ Sq.Yds including open space of ___
Sq.yds situated at Gandhinagar Kalwakurhy
4 2/9th share in the Agriculture land admeasuring Ac. 3-14 Gts
in Sy.No.272/E, Ac.2-21 Gts in Sy.No. 271/E/2 situated at
Urkondapet Village and Mandal, Mahabubnagar District.
2. That after the death of father of my client, you at Sl.No.1 have nominally
mutated your name in Municipal Records as owner of H.No. 9-39 situated
at Gandhinagar, Kalwakurthy and similarly you at Sl.No.4 have
nominally mutated your name in Municipal Records as owner of H.No. 6-
51/3 situated at Gandhinagar, Kalwakurthy and late Jaffar has nominally
mutated his name in Municipal Records as owner of H.No. 6-51/4 situated
at Gandhinagar, Kalwakurthy, though my client is entitled to share in
those properties along with all you. The agriculture lands situated at
Urkondapeta are still existing on the name of grandfather of my client
namely Ghayasuddin , who is also the grandfather of you at Sl.No. 2 to 6
and in the said lands, father of my client is entitled to 4/18 th share and in
such 4/18th share my client is also entitled 1/8 th share. It is recently come
to the knowledge of my client that you all are trying to mutate the said
lands in your favour, denying share to my client.

3. Further whenever my client is demanding for allotment of her share in the


above properties., you at Sl.No.1 to 6 are dodging the matter on pretext or
other. Further my client states that it has come to her notice that all of you
are trying to alienate the land at Urkondapet and a House at Kalwakurthy
to the third parties to deprive the legitimate share of my client. As per
Muslim Law of inheritance, my client and you at Sl.No 2, 3, 5 & 6 are
entitled to 1/8 share each( jointly entitled to 5/8) in the above properties,
and you at Sl.No.4 are entitled to 1/4 share and you at Sl.No.1 are entitled
to 1/8 share.

4. That my client makes a demand for partition and separation of her 1/8
share in the above all properties, by giving all of you, this notice in writing,
as you all are evading to allot share to my client.

5. Therefore all of you are called upon by this notice to effect partition of
above properties and to allot 1/8 th share to my client and deliver
possession to her, failing which my client shall be constrained to initiate
appropriate legal proceedings before the competent Court, for which all of
you shall be held responsible for the costs and consequences.

Further you are liable to pay Rs.5000/- towards cost of this notice.

C.Kirshnaiah
, Advocate

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