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In The Court of Civil Judge (Senior Division), Sas Nagar (Mohali)

The document appears to be a court filing for a civil suit requesting a permanent injunction. It provides background on the plaintiff and defendants and premises in question. It also details the cause of action and requests the court grant the injunction.

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0% found this document useful (0 votes)
66 views6 pages

In The Court of Civil Judge (Senior Division), Sas Nagar (Mohali)

The document appears to be a court filing for a civil suit requesting a permanent injunction. It provides background on the plaintiff and defendants and premises in question. It also details the cause of action and requests the court grant the injunction.

Uploaded by

grewalrandeep657
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
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IN THE COURT OF CIVIL JUDGE (SENIOR DIVISION), SAS NAGAR (MOHALI)

1. __________________________________________,
........Plaintiff
Versus

1. ____________________________--
.......Defendants

Suit for permanent injunction for restraining and


prohibiting the defendants, their agents, members
etc from entering in to_____________________,
in any manner and also to restrain defendants
from creating any hindrance, nuisance, causing
hooliganism, obstruction or interference in peaceful
enjoyment of the
premises______________________________
Respectfully showeth;
1. That the plaintiff is an registered firm
2.
3.
4.
5.
6.
7. That the plaintiff has left no other efficacious remedy except to file the
present suit.
8. That no such or similar case is either pending or decided between the same
parties with regard to the above said subject matter in any competent court of
law.
9. That the cause of action firstly arose to the plaintiff for filing the present suit a
few days back when the defendants started _______________________-
10. That the above said premises is situated in __________, Distt. S.A.S. Nagar
(Mohali) which falls within the territorial jurisdiction of this Hon’ble Court and
this Hon’ble Court has jurisdiction to try, entertain, and to adjudicate the
present suit.
11. That the requisite court fee is affixed on the plaint.

It is, therefore, respectfully prayed that the defendants


__________________________________and the suit of the plaintiff for permanent
injunction may kindly be decreed, in the interest of justice.
AND
Any other relief which this Hon’ble Court may deem fit
and proper may also be granted in favour of the plaintiff against the defendant, in
the interest of justice.
Place: SAS Nagar (Mohali) Submitted
by:-
Dated: 19.08.2020
____________________________-
.......Plaintiff

Through counsel

(GAGANDEEP THIND)
ADVOCATE
Verification:-
Verified that the contents of the para no.1 to __ of the plaint are
true and correct to my knowledge and para no. __ to __ are believed to be true and
correct as per the legal advice. No part of it is false and nothing has been concealed
therein.

Verified at SAS Nagar (Mohali)


Dated: 19.08.2020 .......Plaintiff

IN THE COURT OF CIVIL JUDGE (JUNIOR DIVISION), KHARAR

____________________- ........Plaintiff
Versus
________________ .......Defendants
Application under order 39 Rule 1 & 2 read with section
151 C.P.C. for interim injunction restraining the
defendants ________________________________.
Respectfully Showeth:-
1. That the applicant/plaintiff frim has filed the above noted suit against the
respondents for permanent injunction in this Hon’ble court and there is every
likelihood of its success.
2. That the contents of the accompanying plaint may please be read as part and
parcel of this application and the same has not been reproduced here for the
sake of brevity.
3. That the applicant has a good prima facie case in her favour and there is every
chance to succeed in the matter.
4. That the balance of convenience is in favour of the applicant and against the
respondent.
5. That the applicant will suffer an irreparable loss and injury if the interim relief
prayed for is not granted in favour of the applicant forthwith.

It is, therefore, respectfully prayed that the defendants


___________________________, till the final decision of the suit.

Place: SAS Nagar (Mohali)


Dated: 13.11.2017
……Applicant
Through counsel

(GAGANDEEP THIND)
ADVOCATE
IN THE COURT OF CIVIL JUDGE (SENIOR DIVISION), SAS NAGAR (MOHALI)

_____________

Versus
_________________

App. U/o 39 R 1 & 2 R/w Sec. 151 of CPC


AFFIDAVIT

I, _______________________________, do hereby solemnly affirm and declare as


under:-

1. That the deponent has filed the above titled application against the
respondents for interim injunction in this Hon’ble court and there is every
likelihood of its success.
2. That the deponent has a good prima facie case in her favour and there is
every chance of the deponent to succeed in the matter.
3. That the balance of convenience is in favour of the deponent and against the
respondent.
4. That the deponent will suffer an irreparable loss and injury if the interim relief
prayed for is not granted in favour of the deponent forthwith.

Deponent
Verification:-
Verified that the contents of my above affidavit are true and correct to
the best of my knowledge and nothing has been concealed therein.

Verified at SAS Nagar (Mohali)


Dated: 19.08.2020 Deponent

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