IN THE HIGH COURT OF JUDICATURE OF ………….
AT ……….
C.M.P. No……….. of …….. 20………..
in
C.R.P. No………… of 20……..
Between :
……………………..
…………………… ……Petitioner/Petitioners
and
……………………..
……………………. ….Respondent/Respondent
Affidavit of ………………., the 2nd Petitioner herein
I, …………………………………………………………………….,
S/o. ……………………………………………………………. ,
S/o………………………………………………………….…...,
aged about ……………………………………..……….. years,
Occupation, …………………………………….………….,
residing ……………………………………..…..………….,
street………………………………………………,……………
Mandal, ……………………………………………………… District, do hereby solemnly and sincerely affirm and state on oath as follows :
1. That I am the ………………………………..………. petitioner herein and also the petitioner in the above C.R.P. and as such I am well acquainted with the facts of the case.
2. I submit that the ………………………………………... respondent herein filed a suit O.S.No. ………………………….. on the file of the Court of Senior Civil Judge, …………………………………….…, for partition and separate possession and the respondents ………………………….……. to …………………….…… herein are his sons. I submit that we are the sons of the younger brother of the 1st respondent and we were impleaded in the main suit only as co-shares and the dispute is only between the father and sons i.e., the respondents inter-state. I submit that the 1st respondent filed I.A.No. ………………………………….. in the said suit for appointment of Receiver and it appears that the Joint Memo. was filed before the Court below by the plaintiff and the Defendants …………………….……… to ……………………….. only making some arrangements and for non-compliance, the plaintiff filed I.A.No…………………. …….. under Section 151 of C.P.C. seeking directions to the defendants …………………………….…. to ………………………..…….. to deposit the amounts and consequently the present impugned order is passed, which virtually will affect out rights, since we are in actual possession of the plaint schedule properties and we have raised the standing crop. In the said circumstances we are necessary and proper parties in the above C.R.P. and we may be permitted to prosecute the present C.R.P. as otherwise we will be put to irreparable loss, grave suffering, great hardship, heavy injury, and serious loss.
Under these circumstance, it is just and necessary in the interests of justice, that this Hon’ble Court may be pleased to grant the leave of this Hon’ble Court to permit the petitioners to file the present C.R.P. before this Hon’ble Court and pass such other and further order or orders as this Hon’ble Court may deem fit and proper in the circumstances of the case.
Deponent
Before me
Solemnly and sincerely affirmed at …………..
on this the ………….. of …….…… and
signed his name in my presence
Advocate, ……………
MEMORANDUM OF CIVIL MISCELLANEOUS PETITION
(Under Section 151 of C.P.C.)
IN THE HIGH COURT OF THE JUDICATURE OF …………………
AT ……………………
C.M.P. No……….. of …….. 20………..
in
C.R.P. No………… of 20……..
Between :
……………………..
…………………… ……Petitioner/Petitioners
and
……………………..
……………………. ….Respondent/Respondent
For the reasons and in the circumstances stated in the accompanying affidavit, the petitioners herein pray in the interest of Justice, that this Hon’ble Court may be pleased to grant the leave of this Hon’ble Court to permit the petitioners to file the present C.R.P. before this Hon’ble Court against the order made in I.A.No………………………………………..…… of ……………………………….... in O.S.No……………………………. of ………………………………..…… on the file of the Court of the Senior Civil Judge, ……………………….……….., and pass such other and further order or orders as this Hon’ble Court may deem fit and proper in the circumstances of the case.
Place :……..
Dated : ………
Advocate for Petitioners
Download Word Document In English. (Rs.15/-)
Σχόλια