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DPC Answer Key-Combined

The document is an application for condonation of delay in filing a revision before the High Court. It states that facts in the accompanying affidavit show it is just and in the interest of justice to condone the delay in filing the revision. It prays that the court condones the delay and passes any other orders it deems fit.

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sanan inamdar
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0% found this document useful (0 votes)
151 views

DPC Answer Key-Combined

The document is an application for condonation of delay in filing a revision before the High Court. It states that facts in the accompanying affidavit show it is just and in the interest of justice to condone the delay in filing the revision. It prays that the court condones the delay and passes any other orders it deems fit.

Uploaded by

sanan inamdar
Copyright
© © All Rights Reserved
Available Formats
Download as PDF, TXT or read online on Scribd
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Application for condonation of delay in filing the application for Revision before

the Hon'ble High Court Court/Sessions Court

IN THE HIGH COURT OF JUDICATURE AT …………………


Criminal Misc. Application No. …………….. of ………..
(Under Section 5 of the Indian Limitation Act)

In

Criminal Revision No. ………….of 20…………


District…………………………………

…………..... …Applicant/Accused

Versus

State of…………………………….

…………….. …Opposite Party

To

The Hon'ble Chief justice and his companion Judges of the aforesaid Court.

The humble application on behalf of the applicant most respectfully showeth as under:

1. That on facts stated in the accompanying affidavit it is just and expedient in the
interest of justice that the Hon'ble Court may be pleased to condone the delay in filing
the present Revision.

PRAYER

It is, therefore, most respectfully prayed that this Hon’ble Court nay be pleased to
condone the delay in filing the present revision 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


Exhibit No.____________
VAKALATNAMA

IN THE COURT OF_____________________________________

AT PUNE

____________NO._________________/_______________

___________________________ Appellant/Applicant

Complainant
___________________________ Petitioner/Plaintiff/
Caveator

VERSUS
___________________________ Respondent/Opponent

___________________________ Accused/defendant/
Caveatee

I the undersigned ________________________________________


_________________ the above named_______________ hereby appoint
& authorise.

to appear and plead for me/us as my/our Advocate/s in the matter.


I am not a member of Maharashtra advocates Welfare Fund

In witness whereof I / we have signed below this Vakalatnama on


______day of _____________20___.

Witness ________________________
& I have not affixed the required stamp

________________________

Accepted and filed on ____/____20___


________________________

________________________

Signature of Advocate/s ________________________


APPLICATION UNDER SECTION 11 OF THE ARBITRATION ACT

IN THE COURT OF.....................................

Suit No..................... of 200

In the Matter of

AB ............................................................. Petitioner

versus

CD............................................................... Respondent

Most Respectfully Showeth: -

1. That vide agreement.................................. entered into between the petitioner and the respondent
it was agreed that in case any difference arising in respect of the contract entered a reference shall
be made to an arbitrator to be appointed by the consent of the parties to the agreement.

2. That a copy of the said arbitration agreement dated..............................

is annexed hereto and marked as Annexure.....................................................

3. That the differences having arisen between the petitioner and the respondent to the arbitration
agreement, Shri........................................................... was appointed as arbitrator by the consent of
the parties.

4. That the arbitrator in terms of the agreement should have given the award within a period of four
months from the date of his appointment.

5. That the arbitrator has failed to use all reasonable despatch in entering and proceedings with the
reference and in making an award in the matter.

PRAYER

It is therefore most respectfully prayed that the arbitrator be removed and some other person whom
this Hon’ble Court deems fit and proper may be appointed to fill in the vacancy so caused by the
removal of the arbitrator.

It is prayed accordingly.
Applicant

Through

Advocate

IN THE COURT OF...............................................

Suit No..................... /200


In the Matter of

AB.................................................... Plaintiff/Petitioner

versus

CD............................................. Defendant/Respondent

AFFIDAVIT

I.............................................................. resident of .............................................................................


do hereby solemnly affirm and declare as unden-

1. That I am the.................................................... in this case and hencecompetent to swear this


affidavit.

2. That the contents of the accompanying application are true and correct.

Deponent

VERIFICATION

Verified at.................... on this.................... day of.................... ......................................... that the


contents of the above affidavit are true and correct to my knowledge.

Deponent

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