BEFORE THE HON'BLE COURT OF…………………..
Case No. ………………… of ……….
(Under Section 145, Cr.P.C.)
District………………….
Sri. ….……………….. S/o ……………….. R/o ………………….. P.S. ………………. District …………….
………...... …Applicant
Versus
Sri ……………… S/o ………………….. D/o ……………………… P.S.………………. District …………….
………...... …Opposite party
To
The Hon'ble Judge of the aforesaid Court.
The humble petitioner most humbly showeth as under:
1. That the applicant is in possession of House No. …………….. situated at …............................ for last………… years.
2. That the opposite party, on the basis of an alleged sale-deed, dated .................. is trying to dispossess the applicant from the disputed house.
3. That on account of illegal interference by the opposite party into the peaceful possession of the applicant over the house in dispute, a dispute likely to cause breach of peace has arisen.
4. That despite the F.I.R. lodged by the applicant regarding the illegal interference by the opposite party the opposite party could not be deterred due to the inaction of the police.
5. That thus the applicant is compelled to resort to the legal proceedings before this Hon'ble Court.
6. That all the deeds and papers showing the exclusive possession of the applicant over the disputed house are annexed herewith.
PRAYER
It is, therefore, most respectfully prayed that the Hon'ble Court may be pleased to draw up proceedings under Section 145, Cr. P.C. and may also be pleased to pass such other and further orders as it deems fit in the circumstances of the case.
Date………
Advocate for the Applicant
Download Word Document In English. (Rs.10/-)
Download PDF Document In Hindi. (Rs.10/-)
Comments