0% found this document useful (0 votes)
62 views3 pages

Original Petition

Uploaded by

hannamariyam80
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
0% found this document useful (0 votes)
62 views3 pages

Original Petition

Uploaded by

hannamariyam80
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/ 3

BEFORE THE HONOURABLE FAMILY COURT

BENGALURU

OP NO. OF 2022

PETITIONERS

1. KAMALA

2. SURESH

Full name and address of the petitioners

1. KAMALA, D/o ………., aged ………. years, residing at ……….,

2. SURESH, S/o ………., aged ………. years, residing at ……….,

All the notices and process from this Honourable Court to the petitioners may
be served at the address given above or on petitioner’s counsel …………..,
Advocate, ……………………..

Full name and address of the Respondent.

Nil

PETITION

Filed under Section 13 B of the Hindu Marriage Act 1955 and Section 7(1)
of the Family Courts Act.
1. The petition is for a decree of divorce by mutual consent.

2. The marriage between the petitioners was solemnized on …………….. as


per the customs and rituals followed by Hindu community at (PLACE OF
MARRIAGE). Both the parties belong to Hindu, (COMMUNITY OR SECT)
and The Hindu Marriage Act 1955 is applicable to them. Immediately after
marriage the parties resided together as husband and wife at ……………..

3. The petitioners have ………….. children born out of this wedlock.

4. The petitioners lastly resided as husband and wife at


………………………. during February 2017. From February 2017 onwards the
parties are living separately owing to difference in temperament, habits and
tastes. The relationship between the petitioners had become strained and they
are living separately out of their free will.

5. Both the petitioners have realized that there is no possibility for


reconciliation and resumption of marital relationship.

6. It is submitted that the marital relationship between the parties has broken
irretrievably. The earnest attempts made by the friends and relatives for the re-
union has failed. The petitioners realize that there is no point in continuing the
marital relationship which is broken for all its intents and purposes. As such
both the petitioners have jointly decided to apply to this Hon’ble Court for
dissolution of marriage between the parties by mutual consent, hence this
petition.

7. There is no collusion, connivance, fraud, undue influence or any


compulsion from any person or between the parties for filing this petition. The
parties are living separately for the last more than one year.

8. Since the petitioners lastly resided together in ……… so this petition is


maintainable before this Hon’ble Court.

10. The cause of action for the petition arose on ………..being the date of
marriage. The parties lastly resided together as husband and wife at ………..
which is within the territorial jurisdiction of this court and hence this Hon’ble
Court is having ample jurisdiction to try this case.

VALUATION
The Court fee payable to this petition is Rs.50 /- and the same is paid herewith
as per rules.

It is therefore humbly prayed that this Honourable Court be pleased to pass an


order allowing the following

RELIEFS

A) Dissolve the marriage between the petitioner and the respondent which
took place on ……………….. by a decree of divorce by mutual consent.

B) Such other and further reliefs as this Honourable Court deems just and
necessary.

List of Documents;

1. Marriage certificate dated …….

2. Identity proofs ( 2 Nos.)

Dated this the ………. day of …………2022.

PETITIONERS

1. Kamala

2. Suresh

All what is stated above are true and correct.

You might also like