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Suit For Permanent Injunction

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Itisha Goyal
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0% found this document useful (0 votes)
14 views3 pages

Suit For Permanent Injunction

Uploaded by

Itisha Goyal
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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Suit for Permanent Injunction

IN THE COURT OF THE COMPETENT CIVIL JURISDICTION

Civil Suit No. ________ of 20__

Mr. A, residing at [Complete Address], Plaintiff

VERSUS

Mr. Y, residing at [Complete Address], Defendant

SUIT FOR PERMANENT INJUNCTION

The Humble Plaint of the Plaintiff Above-Named

MOST RESPECTFULLY SHOWETH:

1. That the Plaintiff is the lawful tenant of the Defendant in respect of the premises located
at [Full Address of the Rented Premises], hereinafter referred to as "the Suit Property."

2. That the Plaintiff has been residing in the Suit Property for the past [Duration], paying
rent to the Defendant regularly without any default.

3. That the Defendant, without any legal basis, has started threatening the Plaintiff with
eviction by use of force, intimidation, and harassment, in blatant violation of the law.

4. That the Defendant has not issued any legal notice or obtained an eviction order from a
competent court, which is mandatory under the applicable rent control laws.

5. That the Plaintiff apprehends that the Defendant may unlawfully dispossess the Plaintiff
from the Suit Property, causing irreparable harm and hardship.

6. That the Plaintiff has no alternative remedy but to approach this Hon’ble Court for the
protection of his lawful possession of the Suit Property.

7. That the cause of action arose on [Date], when the Defendant issued verbal threats to
forcibly evict the Plaintiff and continues to persist in his threats.

8. That the Plaintiff values the suit at Rs. ______ for the purpose of jurisdiction and payment
of court fees, which has been duly paid.
PRAYER
In view of the above, the Plaintiff humbly prays that this Hon’ble Court may be pleased to:

a) Pass a decree for permanent injunction restraining the Defendant, his agents, or anyone
acting on his behalf from forcibly evicting the Plaintiff or interfering with his lawful
possession of the Suit Property.

b) Pass any other order(s) as this Hon’ble Court may deem fit and proper in the interest of
justice.

Plaintiff
Through Counsel
[Name & Signature of the Advocate]
Dated: ________
Place: ________

Affidavit

I, Mr. A, S/o [Father’s Name], residing at [Complete Address], do hereby solemnly affirm and
declare as under:

1. That I am the Plaintiff in the accompanying suit and am well acquainted with the facts and
circumstances of the case.

2. That the contents of the Plaint are true and correct to the best of my knowledge and
belief.

3. That I have not suppressed any material facts from this Hon’ble Court.

4. That the present affidavit is being filed in support of the suit for permanent injunction.

DEPONENT
Verified at [Place] on this [Date] that the contents of the above affidavit are true to my
knowledge and belief, and no part of it is false and nothing material has been concealed.

DEPONENT

List of Documents Required


Document Name Purpose
Proof of Tenancy (e.g., Rent Agreement) To establish the tenancy relationship
between the Plaintiff and Defendant.
Receipts of Rent Payment To demonstrate the Plaintiff's compliance
with rent obligations.
Correspondence between Parties To show evidence of threats or relevant
communication.
Identity Proof of Plaintiff To verify the identity of the Plaintiff.
Any Witness Statements (if applicable) To corroborate the Plaintiff's claims.

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