BEFORE THE HON’BLE JMFC/CITY CIVIL COURT
_____________AT _______________, MUMBAI
                               Suit no.______ of 20_____
                             Mr. ABC S/o DEF                   )
                             Aged about ……. Years,             )
                             Occ: Service/Business         )
                             R/o ________________          )
                          Mob: ………………………..                             )
                                                                           ….…………Plaintiff
                                         Versus
                            Mr. XXX S/o YYY                        )
                             Aged about ……. Years,             )
                             Occ: Service/Business         )
                             R/o ________________          )
                          Mob: ………………………..                             )
                                                                           …………Defendants
MAY IT PLEASE YOUR HONOUR
The Plaintiff above named begs to states as follows;
1. That the Plaintiff is owner of a bungalow No……………. On…… Street in the town
   of……………. With a guest-house attached thereto.
2. That the Defendant is a government servant and was transferred to this station in the
   moth………. He approached the Plaintiff to permit him to occupy the guest-house of
   the Plaintiff for a short period of four weeks during which he would find for himself a
   government quarter which was at that time in the occupation of his predecessor.
3. That the Plaintiff, in view of the assurance given by the defendant, permitted him to
   occupy the guest-house.
4. That the Plaintiff learns that the predecessor of the defendant has not vacated the
   government quarter and left behind his family members who are occupying the same.
5. That the said period of four weeks expired on ………………
6. That the possession of the defendant was totally permissive and the defendant has no
    right whatsoever to continue to occupy the guest-house.
7. That the Plaintiff made several requests to the defendant to quit his guest-house and
    deliver back the possession thereof to the Plaintiff but the defendant has turned a deaf
    ear to all the requests so made by the Plaintiff.
8. That ultimately the Plaintiff sent a notice dated……… by registered post with
    acknowledgment due delivered due to the defendant personally on……………..
    demanding of him to quit the guest- house and deliver back to the Plaintiff peaceful
    possession thereof, within 15 days of the service of the notice, which period has also
    expired, and the Defendant is not quitting the guest-house. Hence this suit.
9. Cause of action.
10. That the valuation of the suit for the purposes of jurisdiction and payment of court-fee
    is Rs……………….. and ad valorem court-fee has been paid accordingly.
11. The Plaintiff, therefore, claims the following reliefs:
   The Eviction order may be passed against the defendant;
   Defendant may be ordered to pay the sum of Rs.__________/- being the
    compensation amount.
   Costs of suit may be awarded to the Plaintiff.
   Any other relief that this Court may deem just and proper.
                                                                                   Plaintiff
                                                                  Advocate of the Plaintiff
                                    AFFIDAVIT
   I, …………………….., of Mumbai, Hindu, Indian Inhabitant, the Petitioner
abovenamed, do hereby solemnly declare that what is stated in Paragraphs ..….. to……..
of the fore going petition is true to my own knowledge.
Solemnly declared at ____________
Dated this _____________ day of __________________ , 20____
                                                                                Plaintiff
                                                          Interpreted & Explained by me
                                                               Advocate for Plaintiff