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Protection Petition

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

Protection Petition

Uploaded by

abhishekneemka
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
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IN THE COURT OF HON’BLE DISTRICT & SESSIONS JUDGE

FARIDABAD.

Petition No. 2024

1.

VERSUS

PETITION FOR PROVIDING THE POLICE PROTECTION TO


THE PETITIONERS

RESPECTFULLY SHOWETH:-

1. That the petitioners are the law abiding citizens of the India and
petitioner no.1 is residing at House No.XXX and petitioner No.2 is
residing at House No.XXX, thus fully competent to invoke the
extra ordinary jurisdiction of this Hon’ble Court to protect their
fundamental rights.
2. That the petitioners have been married with each other on XXXX
in XXXX The marriage certificate is enclosed herewith. At the
time of marriage both were major as the date of birth of petitioner
No. 1 is XXXX and the date of birth of petitioner no.2 is XXXX
(age proofs are also enclosed herewith). That the said marriage
of the petitioners was performed in a very simple manner without
any pressure or coercion. But the respondents No. XX (Mother,
Father, Brother and Brother in law) as well as other family
members of petitioner no.1 were not happy regarding this
marriage and they are threatening to kill the petitioners at any
time in collusion with the local police of P.S. XX.
4. That the respondents No. XXX are harassing the petitioners, the
petitioners have been escaped due to afraid by the respondents.
The petitioners are in apprehension that the respondent No. 4 to
7 either the above said persons filed a case or not against the
petitioners as well as relatives and family members of the
petitioner No.2. The family members of the petitioner No.1
threatened the petitioners to kill whenever they found anywhere.
5. That the petitioners are facing threat at the hands of the
respondents No. XX and they are living away from their house.
6. That the brief facts of the case are submitted below for the kind
perusal of this Hon’ble Court in this case:-
(i) That now the petitioners are living away from their house
because of the threat perception they are facing the hands
of the respondents No. XX and they have every reason to
believe that if, they returned to their home without the grave
indulgence of this Hon’ble Court, their life and liberty could
be dangerous. Thus the petitioners humbly prayed for
granting the protection to them, so that they could start their
matrimonial life without any hindrance & fear.
(ii) That the petitioners have no other remedy except to file this
petition before this Hon’ble Court for the protection of their
fundamental rights.
(iii) That right to life and liberty is fundamental right under
Article 21 of the Constitution of India and it is paramount
duty of the State to protect the life and liberty of its citizens.
Law enforcing agencies of District XXX who are duty bound
to ensure that no body has to harass and threat to the
petitioners in any manner as they are legally wedded
husband and wife.
It is therefore, respectfully prayer that the directions may kindly
be issued to the respondents No. XX to safeguard life and liberty of the
petitioners as the petitioner have got married against the wishes of the
respondent no. XX.
It is further prayed that respondent no. XX be directed not to
indulge in the illegal activities or interfere in the matrimonial life of the
petitioners.
It is still further prayed that the officials / respondents no. 2 and 3
be directed not to take any action or to implicate the petitioners in any
criminal case at the behest of the respondent no. XX.
It is still further prayed that the officials / respondents be directed
to provide immediate protection to the petitioners as they are facing the
imminent threat to their life and liberty.

Dated :- Petitioners

Through Counsel

, Advocate

IN THE COURT OF HON’BLE DISTRICT & SESSIONS JUDGE


FARIDABAD.

Petition No. 2024

XXXX Vs. XXXX

PETITION FOR PROVIDING THE POLICE PROTECTION TO THE


PETITIONERS

AFFIDAVIT
I Smt. XXX W/o Sh. XX D/o Sh. XX R/o House No. XX and I Sh. XX
S/o XX resident of House NO.XX , presently both residing at XX , do
hereby solemnly affirm and declare as under:-
1. That the deponents have moved the accompanied petition before
this Hon’ble Court and the contents of the same may kindly be
read as part and parcel of this affidavit, because are not
reproduce for the sake of brevity.
2. That no other petition / case is pending before any court of law in
this regard.

Deponents
Verification:-
Verified that the contents of our above affidavit are true and correct to
the best of our knowledge and belief and nothing has been concealed
therein. Hence verified at Faridabad on Dated XX.

Deponent

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