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Preetham Advance

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0% found this document useful (0 votes)
83 views4 pages

Preetham Advance

Uploaded by

dasapparohan
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© © 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 THE VIII ADDL CHIEF JUDICIAL MAGISTRATE

AT BANGALORE

P.C.R.No.8215/2024

Between
Sri.Preetham.S.R.
S/o Sri.Rudrasetty S.R
Aged 31 years
#150, 1st Floor, 5th Cross,
Vishveshwaraiah Enclave,
Kammagondanahalli,
Bengaluru-560 015.
Complainant
And
Smt. Kavya .R
W/o sri.Preetham.S.R
Aged 26 years,
R/at No: 900/A-5
Sri Raksha Nilaya,
Near Banashankari Temple,
Shaktinagar
Davanagere. Accused

APPLICATION FILED UNDERSECTION_151 OF CODE OE


CIVIL PROCEDURE
That for the reasons stated in the accompanying affidavit the Counsel for
the Petitioner in the matter for the urgency prays this Hon’ble Court be
pleased to advance the date of hearing of the present petition for sworn
statement from 23/01/2025 to 19/11/2024 in the interest of Justice.

PLACE: BANGALORE
DATE: 19/11/2024
ADVOCATE FOR THE
PETITIONERS

IN THE COURT OF THE VIII ADDL CHIEF JUDICIAL MAGISTRATE


AT BANGALORE

P.C.R.No.8215/2024
Between
Sri.Preetham.S.R. Complainant
And

Smt.Kavya .R Accused

VERIFYING AFFIDAVIT
I, Sri.Preetham.S.R. S/o Sri.Rudrasetty S.R Aged 31 years #150, 1st Floor,
5th Cross, Vishveshwaraiah Enclave, Kammagondanahalli, Bengaluru-560
015, do hereby solemnly affirm and state on oath as follows:

1. That I am the Petitioner No. 1 and authorized to swear this Affidavit


on their behalf of the Petitioner as well.
2. That I am conversant with the facts of the case and I am competent
to swear this Affidavit;
3. It is submitted that, the Complainant is residing in the above address
and the Accused is married to the Complainant. The Accused
while being in the matrimonial home was in the habit of going away to
other places for two to three days without informing the Complainant. On
many occasions the accused has given death threats by phone calls and
criminally intimidated the Complainant and his parents while being in the
matrimonial home she has verbally and physically abused the
Complainant and his parents. The accused has manhandled the mother of
the Complainant and assaulted the Complainant and his parents causing
hurt, The accused keeps pressurizing the Complainant vacations and to
get her expensive gifts. Thus the accused is mentally and physically
torturing the Complainant. The to take her out on accused has given
death threats with the support of her parents to the Complainant and his
father on 31-10-2023.It is submitted that, the accused is not only not
taking care of the parents of the Complainant but mentally torturing the
Complainant.
4. The Complainant has filed a case for Divorce in MC1162/2024 on
17.02.2024 before the II Additional Principal Family Court, Bengaluru and
as a revenge the accused has file a false case of dowry harassment under
IPC and DP Act in crime no: 0021/2024 on 24-02-2024 before the
Davanagere City Police Station Later after two days the Complainant
lodged a complaint with Gangammana Gudi Police Station on 3/11/2023.
However the Police have only registered a NCR and have not taken any
action against the accused. The said NCR 307/2023 is produced as
Document No: 1.
5. It is submitted that the acts of the accused attracts the punishment
under the provisions of Sections 323,352 & 506 OF IPC. The Complainant
is fearing for his life and he is unable to sleep, mentally depressed and he
is also frightened to go out. The accused have connections with anti-social
elements and are influential.
6. The Complainant left with no alternative remedy, has approached
this Hon'ble court by filing this private complaint .The above said facts
and circumstances, it is clear that the Accused have conspired to insult
the Complainant by heaping abuses, assaulting the Complainant and his
parents, causing hurt and also criminally intimidate the Complainant thus
attracting offences punishable under the provisions of Sections 323, 352,
506 and this Hon'ble Court has got territorial jurisdiction to try with the
above matter in accordance with law.
10. I state that, the previous date of hearing was 08-11-2024, and the
next date is 23-01-2025.
11. I state that there has been a considerable delay already, and in
order to the sworn statement of the Complainant, we have to hasten the
procedure and view of the same, we are filing this Application for
Advancement of the hearing date so that we may present a Complainant
for Sworn Statement before this Hon'ble Court.

12. In view of the facts stated in the foregoing paragraphs, I pray that this
Hon'ble Court be pleased to advance the hearing date from 23-01-2025 to
19-11-2024. If this Application is allowed, no hardship would be caused to
the Accused, or to the Garnishees but the Complainant facing so much of
trouble who despite is a innocent will be in a hardship would be caused to
the Complainant if this Application is not allowed,
WHEREFORE, I humbly pray that this Hon'ble Court be pleased to allow
the accompanying Advance Application as prayed for, in the interest of
Justice.

PLACE: BANGALORE
DATE: 19/11/2024
Identified By Me DEPONENT

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