FORM OF APPEAL
In the High court of ………………………………
Regular first Civil Appeal No ………………………………
Name and particulars of party ………………………………Appellant/ Defendant
Vs
Name and particulars of party ………………………………Respondent / plaintiff
Appeal under section 96 of C.P.C. against judgment and decree passed by Civil Judge ……….On dt………. in suit No ……….
The appellant most respectfully sheweth that.
1. The respondent had filed the suit No ……….in the court of civil judge ………. against the appellant for the ……….
2. The learned judge heard the said suit and passed a decree of ……….against the appellant ……….on dt……….
3. The appellant being aggrieved by the said decree and judgment prefers this appeal on the following amongst other grounds.
i. That the learned judge erred in holding,
ii. That the learned judge erred in the evidence of the appellant (defendant) and his witnesses.
iii. That the decision of the learned judge is against the rule 50, of evidence in the case, and the learned judge ought to have dismissed the plaintiff's suit.
iv. That the decision of the trial Court is against justice, equity and good conscience and hence not sustainable.
4. The appellant has not filed any other appeal prior to this in the Hon'ble court.
5. The appellant, therefore, submits that the Hon'ble court be pleased to send for the records of the suit from the trial court and set aside the decree and the judgment of the trial court.
Dated ………. Advocated for the applicant Place ……….
*** Before drafting a memorandum of appeal one must carefully study the judgment, the issues and the findings arrived thereon because a clue to the grounds may be got from them,
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