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Suit of Injunction Format

This document is a suit filed in court seeking relief. It provides the names and addresses of the plaintiff and defendant. It summarizes the facts of the case, including that the plaintiff owns the subject property and the defendant trespassed and threatened the plaintiff. The plaintiff is requesting a permanent injunction against the defendant from interfering with the property, as well as costs and any other relief deemed appropriate by the court.

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DASI SAI TEJA
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0% found this document useful (0 votes)
3K views

Suit of Injunction Format

This document is a suit filed in court seeking relief. It provides the names and addresses of the plaintiff and defendant. It summarizes the facts of the case, including that the plaintiff owns the subject property and the defendant trespassed and threatened the plaintiff. The plaintiff is requesting a permanent injunction against the defendant from interfering with the property, as well as costs and any other relief deemed appropriate by the court.

Uploaded by

DASI SAI TEJA
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as DOCX, PDF, TXT or read online on Scribd
You are on page 1/ 29

IN THE COURT OF THE

O.S.No. OF 2018

BETWEEN:

..Plaintiff/s
AND

..Defendant/s

SUIT FOR
PLAINT FILED UNDER SEC.26 & ORDER-7, RULE-1 OF C.P.C.

1. THE NAME, DESCRIPTION AND PLACE OF RESIDENCE OF THE


PLAINTIFF :

The address of the Plaintiff for the purpose of service of all notices, summons
and process etc., is that of their counsel M/s Dasi Ramesh,Advocate,F.No.302,
H.No 10-3-297&298,Srinivasa aprtments, HUmayun nagar, Hyderabad-28

2. THE NAME, DESCRIPTION AND PLACE OF RESIDENCE OF THE


DEFENDANT:

The address of the defendant for the purpose of service of all notices, summons
and process etc., is the same as mentioned above.

3. The Plaintiff submit that (Type Facts of the case)

I submit that while so, the respondents and some anti social elements

came to the suit house on _____, when I went to our relatives house along with

my children. They broke open my house door which fact was informed to me

through colony people. Immediately I along with my relatives rushed to the suit

house and when I questioned respondents they left the suit property threatening

that they would come with larger force and dispossess me from the suit schedule

property. Though I orally approached the ________ Police Station. I was advised

to approach the civil court seeking relief of injunction.

c). I submit that I have a prima facie case in my favour since admittedly the suit

schedule property is owned and possessed by me as a lawful owner and balance


of convenience is also in my favour and that if ad interim injunction is granted no

prejudice will be caused to the respondents as they are strangers to the property

and on the contrary, if I am dispossessed, I will be subjected to severe hardship

and cannot be compensated in terms of money and will lead to multiplicity of

proceedings.

d) Hence the plaintiff is constrained to file this suit.

CAUSE OF ACTION: The cause of action for the suit arose on __________
when the Defendant ____________________, the suit scheduled property in
_____________ District within the jurisdiction of this Court.

JURISDICTION: This Hon'ble Court has jurisdiction to try the suit, the suit
scheduled lands are situated at __________ District and the Defendant also
reside the Jurisdiction of this Hon'ble Court.

LIMITATION: The Plaintiff submit that the suit for filed when the possession of
the Plaintiff's is threatened on _____ and hence the suit is within time.

DECLARATION: The Plaintiff submit that, they have not filed any other suit or
other proceedings is pending between the parties for similar relief in respect of
the subject matter of the suit.

VALUATION: The suit is valued for the purpose of Court Fee at


Rs.________/- and Court Fee of Rs.______/- is herewith paid under Section 20,
R/w.Art.1(b)&(c) of A.P.S.F. & S.V.ACT, 1956 and the same is sufficient.

PRAYER:
Therefore, it is prayed that this Hon'ble Court may pleased to

a) grant a decree and judgment in favour of the plaintiff and against the
defendants
b) by granting permanent injunction restraining the Defendants or other
servants, agents, workers or whosoever claiming through them from interfering
or entering on to the suit schedule property consisting of constructed house AT
_______________
c) to award costs of the suit and
d) Granting such other relief or relieves as this Hon'ble Court deems fit and
proper in the interest of justice.

DATE:
Hyderabad PLAINTIFF

Counsel for Plaintiff

VERIFICATION

I, , herein do hereby declare that the contents of the Plaint No.1 to __ are
true and correct to the best of my knowledge, belief and information and as per
legal advise received. Hence verified on at Hyderabad.

Date:
Hyderabad PLAINTIFF

SCHEDULE OF PROPERTY

All that part and parcel of land bearing Survey No.__, admeasuring ______
out of the total extent of Ac._____ gts in ________ Village, __________ District
bounded by:

NORTH :
SOUTH :
EAST :
WEST :

Date:
Hyderabad PLAINTIFF

VERIFICATION
I, herein do hereby declare that the contents and particulars of the suit
schedule are true and correct to the best of my knowledge, belief and
information. Hence verified at Hyderabad on

Date:
Hyderabad PLAINTIFF

LIST OF DOCUMENTS
Date if any of
documents
S.No Parties to the Document Description of Document
vernacular in
English
1.
2.
3.
4.
5.

Date:
Hyderabad PLAINTIFF
IN THE COURT OF THE

O.S.No. OF 2018

BETWEEN:

..Petitioner/Plaintiff
AND

..Respondent/Defendant

SUIT SCHEDULED PROPERTY

All that part and parcel of land bearing Survey No.__, admeasuring ______
out of the total extent of Ac._____ gts in ________ Village, __________ District
bounded by:

NORTH :
SOUTH :
EAST :
WEST :

Date: PLAINTIFF
Hyderabad

I, do hereby declare that what is stated in the above schedule is true and

correct to the best of my knowledge and belief and signed on this at Hyderabad.

PLAINTIFF

Through:

Dasi Ramesh
Advocate for Petitioner/Plaintiff.
IN THE COURT OF THE

O.S.No. OF 2018

BETWEEN:

..Plaintiff

and

..Defendant/s

SUIT FOR
PLAINT FILED UNDER SEC.26 &
ORDER-7, RULE-1 OF C.P.C.

FILED ON:

FILED BY:

M/s Dasi Ramesh,Advocate,F.No.302,


H.No 10-3-297&298,Srinivasa
aprtments, HUmayun nagar, Hyderabad-
28

COUNSEL FOR PLAINTIFF


IN THE COURT OF THE

O.S.No. OF 2018

BETWEEN:

..Petitioner/Plaintiff
AND

..Respondent/Defendant

AFFIDAVIT FILED UNDER SEC.26(2) OF C.P.C.

I, , do hereby solemnly and sincerely affirm and sincerely state on oath as


follows:

1. I am the Petitioner herein and as such I am well acquainted with the facts of
the case.

2.I submit that

Hence, it is prayed that this Hon'ble Court may be pleased to pass a decree
and judgment in my favour and against the defendants and such other reliefs as
this Hon’ble Court may deem fit and proper in the circumstances of the suit.

last page corrs. Deponent


Solemnly and sincerely affirm this
the day of
and signed his name in my presence.

BEFORE ME

ADVOCATE :: Hyderabad
IN THE COURT OF THE

O.S.No. OF 2018

BETWEEN:

..Plaintiff

and

..Defendant/s

AFFIDAVIT FILED UNDER


SEC.26(2) OF C.P.C.

FILED ON:

FILED BY:
M/s Dasi Ramesh,Advocate,F.No.302,
H.No 10-3-297&298,Srinivasa
aprtments, HUmayun nagar, Hyderabad-
28

COUNSEL FOR PETITIONER


IN THE COURT OF THE

O.S.No. OF 2018

BETWEEN:

..Petitioner/Plaintiff
AND

..Respondent/Defendant

AFFIDAVIT FILED UNDER ORDER VI, RULE-15(4) OF C.P.C.

I, , do hereby solemnly and sincerely affirm and sincerely state on oath as


follows:

1. I am the petitioner/plaintiff in the above suit and as such I am well acquainted


with the facts of the case and depose as under and file this affidavit as under:

2. I submit that I have filed the suit against the defendants herein.

3. I submit the contents of the plaint, averments made therein are true, correct
and genuine one. I also filed the documents along with the plaint.

Hence, I pray this Hon’ble Court to Decree the above suit as prayed for.

last page corrs. Deponent


Solemnly and sincerely affirm this
the day of
and signed his name in my presence.

BEFORE ME

ADVOCATE :: Hyderabad
IN THE COURT OF THE

O.S.No. OF 2018

BETWEEN:

..Plaintiff

and

..Defendant/s

AFFIDAVIT FILED UNDER


ORDER-VI, RULE-15(4) OF C.P.C.

FILED ON:

FILED BY:
M/s Dasi Ramesh,Advocate,F.No.302,
H.No 10-3-297&298,Srinivasa
aprtments, HUmayun nagar, Hyderabad-
28

COUNSEL FOR PETITIONER


IN THE COURT OF THE

O.S.No. OF 2018

BETWEEN:

..Petitioner/Plaintiff
AND

..Respondent/Defendant

STATEMENT OF ADDRESS UNDER ORDER VI RULE 14 A C.P.C

Plaintiff/s Name and Address Defendant/s Name and Address

Date: COUNSEL FOR PLAINTIFF


Place:Hyderabad
IN THE COURT OF THE

I.A.No. OF 2018
IN
O.S.No. OF 2018

BETWEEN:

..Petitioner/Plaintiff
AND

..Respondent/Defendant

AFFIDAVIT

I, , do hereby solemnly and sincerely affirm and sincerely state on oath as


follows:

1. I am the Petitioner herein and Plaintiff in the suit and as such I am well
acquainted with the facts of the case.

2. I submit that

I submit that I have got prima-facie case and balance of convenience for
granting a temporary injunction otherwise I will suffer irreparable loss and injury
which cannot be compensated in money terms.

Hence, it is prayed that this Hon'ble Court may be pleased to grant exparte
ad-interim injunction restraining the respondents/defendants, their men,
assignees, agents and persons claiming through them from interfering with the
peaceful possession and enjoyment of the suit scheduled property till disposal of
the suit and such other reliefs as this Hon’ble Court may deem fit and proper in
the circumstances of the suit.

last page corrs. Deponent


Solemnly and sincerely affirm this
the day of
and signed his name in my presence.

BEFORE ME

ADVOCATE :: Hyderabad
IN THE COURT OF THE

I.A.No. OF 2018
IN
O.S.No. OF 2018

BETWEEN:

..Petitioner/Plaintiff
AND

..Respondent/Defendant

PETITION FILED UNDER ORDER 39, RULE-1&2,


R/W.SEC.151 OF C.P.C.

For the reasons stated in the accompanying affidavit, the petitioner herein pray
that this Hon'ble Court may be pleased to grant exparte ad-interim injunction
restraining the respondents/defendants, their men, assignees, agents and
persons claiming through them from interfering with the peaceful possession and
enjoyment of the suit scheduled property till disposal of the suit and such other
reliefs as this Hon’ble Court may deem fit and proper in the circumstances of the
suit.

SCHEDULE OF PROPERTY

All that part and parcel of land bearing Survey No.__, admeasuring ______
out of the total extent of Ac._____ gts in ________ Village, __________ District
bounded by:

NORTH :
SOUTH :
EAST :
WEST :

Date:
Hyderabad Counsel for Petitioner
IN THE COURT OF THE

I.A.No. OF 2018
IN
O.S.No. OF 2018

BETWEEN:

..Plaintiff

and

..Defendant/s

PETITION FILED
UNDER ORDER-39,
RULE 1 & 2 R/W.SEC.151 CPC

FILED ON:

FILED BY:
M/s Dasi Ramesh,Advocate,F.No.302,
H.No 10-3-297&298,Srinivasa
aprtments, HUmayun nagar, Hyderabad-
28

COUNSEL FOR PETITIONER


FORM No.8
Particulars or Value of Immovable Property
(Rule-11 and 87 of Part - Volume -1 CRP and Co.)

IN THE COURT OF THE

O.S.No. OF 2018

BETWEEN:

..Plaintiff/s
AND

..Defendant/s

Valuation of Immovable Property under Section 10 of


Andhra Pradesh Court Fee and Suit Valuation Act

1. Sl.Items of Immovable Property

2. Registration District and Sub-District

3. Taluk, Village where property is situated

4. Survey No.Sub-Division Number

5. Extent

6. Class of Lands Wet and Dry

7. Rent Value of the land

8. Market Value of the Land

9. Value for purposes of


Court fee and jurisdiction
with the provision of law
under which it is valued.

10. Remarks

Date:
Hyderabad Plaintiff
Form No.2
SUMMONS FOR SETTLEMENT OF ISSUES
(Order V Rules 3 & 5)

IN THE COURT OF THE

O.S.No. OF 2018

Between:

...Plaintiff
and

...Defendant

To

Whereas the Plaintiff has instituted as suit against you for you are hereby summoned to
appear in this court in person or by a pleader duly instructed and able to answer all
material questions relating to the suit or who shall be accompanied by some person able
to answer all such questions on the _______ day of _____ 2018 at 10-30 O' clock in the
forenoon to answer the claim, and further you are hereby directed to file within 30 days
of service of this summon a written statement of your defense and to produce on the
said day all documents in your possession or power upon which you base your defense.

Take notice that in default of your appearance and to file your written statement
within 30 days the suit will be heard and determined in your absence.

Given under my hand seal of the court this __________ day of 2018

NAZIR

NOTICE: 1. Should you appeared your witness will not attend on their own accord you can have
summons from this court to compel the attendance of any witness and production of any
document that you have a right to call upon the witness to produce on applying to the
court and an depositing the necessary expenses.

2.If you admit the claim you should pay the money into court together with cost of the
suit to avoid execution of the decree, which may be against your person or property or
both.
NOTICE TO SHOW CASUE – GENERAL FORM

IN THE COURT OF THE

I.A.No. OF 2018
IN
O.S.No. OF 2018

Between:

..Petitioner
and

..Respondent

NOTICE
To

WHEREAS the above named Petitioner/Plaintiff has made an application to this


Court.

You are hereby required to appear in this court in person or by a pleader duly
instructed on the _______ day of _______ 2018 at 10-30 AM to show cause of against
the Application, failing which the said Application will be heard and determined exparte.

Given under my hand and seal of Court this ________ day of _____ 2018

SEAL By order NAZIR


PROCESS PAYMENT FORM
IN THE COURT OF THE

O.S.NO. OF 2018

Between:-

...Petitioner/Plaintiff
and

...Respondent/Defendant

Previous Date Next date of Hearing


Date of Name of the Party Applying Purpose of Value PlaceAffixingProcess
Deposit Deposit and for Cancellations
1 2 3 4 5

Dasi Ramesh
Advocate

Date: Dasi Ramesh


Hyderabad Advocate for Petitioner/Plaintiff
deposit made. Nature of process to be

Date:
issued for purpose for which
money is deposited and

AND
order if any under which

Hyderabad
BETWEEN:
Name and Description of

above mentioned.
Person on whom or on
whose property the process
is to be executed.
O.S.No.
FORM No.61

Munsiff where process is toVillage, Taluq, District,


IN THE COURT OF THE

Advocate for Plaintiff


court houseDistance in miles from the
OF 2018

and fro the Court House.Travelling allowance to


(171 Payment into the Court of Cash/Process Fee Deposit)

Class of Allowance

AMOUNT
Allowance
Subsistence

It is requested that the sum of Rs.______ may be received from the purpose
..Plaintiff/s

..Defendant/s

Process Fees

CommissionExpenses of Sale or
IN THE COURT OF THE

O.S.No. OF 2018

BETWEEN:

….PLAINTIFF
AND

DEFENDANT

PROCESS FORM

FILED ON:

FILED BY:

M/s Dasi Ramesh,Advocate,F.No.302,


H.No 10-3-297&298,Srinivasa
aprtments, HUmayun nagar, Hyderabad-
28
Advocate

ADVOCATE FOR PLAINTIFF


Form No.7 List of Document (Rule 9,10 & 62)
(Under Order VII, R.14 or Order XIII, R.1 of Code of Civil Procedure)

IN THE COURT OF THE

O.P.No. of 2018

Between:

…Petitioner/Plaintiff

AND
…Respondent/Defendant

List of Documents filed by- Petitioner/Plaintiff

Date if any of
documents
S.No Parties to the Document Description of Document
vernacular in
English
1.
2.
3.
4.
5.

Date Dasi Ramesh


Hyderabad Advocate for Petitioner/Petitioner
IN THE COURT OF THE

O.P.No. OF 2018

BETWEEN:

….Petitioner/Plaintiff
AND

…Respondent/Defendant

LIST OF DOCUMENTS

FILED ON:

FILED BY:

M/s Dasi Ramesh,Advocate,F.No.302,


H.No 10-3-297&298,Srinivasa
aprtments, HUmayun nagar, Hyderabad-
28
Advocate

Counsel for Petitioner/Plaintiff


IN THE COURT OF THE

O.S.No. OF 2018

Between:

...Petitioner
and

...Respondent

AFFIDAVIT

I, , do hereby solemnly and sincerely affirm and sincerely state on oath as follows:

1. I am the Petitioner herein and as such I am well acquainted with the facts of the
case.

2. I submit that I have filed a plaint/petition for only out of order.

3. The matter is urgent, therefore, the Hon’ble Court may be pleased to check and
register the suit and IA as out of order today only.

Date:
Hyderabad Deponent

The contents of this Affidavit was read over and explained to deponent in
TELUGU/HINDI/URDU who after having perfectly understood the same solemnly
affirmed to be true and correct hence sworn and signed before me this day on at
Hyderabad.

IDENTIFIED BY ATTESTED BY:


Dasi Ramesh
Advocate Advocate :: Hyderabad
IN THE COURT OF THE

I.A.No. OF 2018
IN
O.S.No. OF 2018

BETWEEN:

..Petitioner/Plaintiff
AND

..Respondent/Defendant

OUT OF ORDER PETITION FILED UNDER RULE-57 C.R.P.


R/W.SEC.151 OF C.P.C.

For the reasons stated in the accompanying affidavit annexed herewith, the
petitioner herein pray that this Hon'ble Court may be pleased to direct the section to
check the plaint/petition and put up as OUT OF ORDER on bench today only.

Date:
Hyderabad Counsel for Petitioner
IN THE COURT OF THE

I.A.No. OF 2018
IN
O.S.No. OF 2018

BETWEEN:

..Plaintiff
and

..Defendant/s

OUT OF ORDER PETITION


FILED UNDER RULE-57 C.R.P.
R/W.SEC.151 CPC

FILED ON:

FILED BY:

M/s Dasi Ramesh,Advocate,F.No.302, H.No


10-3-297&298,Srinivasa aprtments,
HUmayun nagar, Hyderabad-28
Advocate

COUNSEL FOR PETITIONER


IN THE COURT OF THE

O.S.No. OF 2018

BETWEEN:

…. PLAINTIFF
AND

…..DEFENDANT

I, , do hereby appoint and retain

Dasi Ramesh
Advocate

Advocate/s to appear for me/us in the above Suit/Appeal/Petition/Case and to


conduct and prosecute or defend the same and all proceedings that may be taken in
respect of any application for execution of any decree or order passed therein. I/We
empower my/our Advocate/s to appear in all miscellaneous proceedings in the above
suit or matter till all decrees or order are fully satisfied, or adjusted, to compromise and
obtain the return of documents and draw any money that might be payable to me/us in
the said suit or matter and I/We do further empower my/our Advocate/s to accept on
my/our behalf service of notice of all or any appeal or petition filed in any court or
appeal Reference or Revision with regard to the said suit or matter before disposal of
the same in Honourable Court.

I certified that the executant who is well acquainted with English, read this
Vakalatnama that the contents of this Vakalatnama were read out and explained in
Urdu/Hindi/Telugu to the executant he/she/they being unacquainted with English, who
appeared perfectly to understand the same and signed or put his/her/their name or
mark in my presence.

Identified by Sri _______________________________

Executed on ADVOCATE
At Hyderabad
IN THE COURT OF THE

O.S.No. OF 2018

BETWEEN:

….PLAINTIFF
AND

DEFENDANT

VAKALAT
ACCEPTED

FILED ON:

FILED BY:

M/s Dasi Ramesh,Advocate,F.No.302, H.No


10-3-297&298,Srinivasa aprtments,
HUmayun nagar, Hyderabad-28
Advocate

ADVOCATE FOR PLAINTIFF


FORM OF CHALLAN NO. Date : :
FOIL
STATE BANK OF HYDERABAD, ______________ BRANCH, Hyderabad

Please receive a sum of Rs.____/- [Rupees ___________________________________ ONLY] towards


cash in lieu of court fee stamps and credit the same in saving Bank Account No. ________________ of the .
Particulars of the amount are furnished below:
Amount deposited by:
Plaintiff By his/her Advocate Sri Dasi Ramesh
Case Number: O.S.NO OF 2018

IN THE COURT OF THE

O.S.NO. OF 2018
Between:
…. Plaintiff/Appellant
AND
…..Defendant/Respondent
C.F. on GROUNDS OF APPEAL Rs
C.F. on MEMO OF APPEARANCE Rs
C.F. on DECREE & JUDGEMENT Rs
C.F. on APPEAL Suit Batta Rs

TOTAL = Rs.

SIGNATURE OF DEPOSITOR OR HIS ADVOCATE


FORM OF CHALLAN NO. Date : :
FOIL
STATE BANK OF HYDERABAD, ______________ BRANCH, Hyderabad

Please receive a sum of Rs.____/- [Rupees ___________________________________ONLY] towards


cash in lieu of court fee stamps and credit the same in saving Bank Account No. ________________ of the .
Particulars of the amount are furnished below:
Amount deposited by:
Plaintiff By his/her Advocate Sri Dasi Ramesh
Case Number: O.S.NO OF 2018

IN THE COURT OF THE

O.S.NO. OF 2018
Between:
…. PLAINTIFF/APPELLANT
AND
…..DEFENDANT/RESPONDENT
C.F. on GROUNDS OF APPEAL Rs
C.F. on MEMO OF APPEARANCE Rs
C.F. on DECREE & JUDGEMENT Rs
C.F. on APPEAL Suit Batta Rs

TOTAL = Rs.

Rupees in words: Rupees ____________________________________________________ ONLY

BRANCH MANAGER
STATE BANK OF HYDERABAD
COURT EXTN. COUNTER Hyderabad

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