IN THE COURT OF [COMPETENT JURISDICTION]
Civil Suit No.: [Insert Number]
[Name of the Plaintiff],
S/o [Father’s Name],
R/o [Address],
...Plaintiff
[Name of the Defendant],
S/o [Father’s Name],
R/o [Address],
...Defendant
SUIT FOR DECLARATION
MOST RESPECTFULLY SHOWETH:
1. That the Plaintiff
The Plaintiff is a law-abiding citizen of India, residing at the address mentioned above and is
competent to file this suit.
2. That the Defendant
The Defendant is also a resident of [address] and is responsible for the unlawful acts as
stated herein.
3. Facts of the Case:
a. The Plaintiff is the lawful owner of the property situated at [complete address of the
property] (hereinafter referred to as the "Suit Property").
b. The Plaintiff purchased the property on [date], through a registered sale deed bearing No.
[document number], dated [date], executed before the Sub-Registrar at [location].
c. The Plaintiff has been in peaceful possession and enjoyment of the Suit Property since the
date of purchase.
d. The Defendant has recently started claiming ownership of the Suit Property based on
false and fabricated documents.
4. Cause of Action:
The cause of action arose on [specific date] when the Defendant began asserting ownership
and threatened the Plaintiff with dispossession from the Suit Property.
5. Jurisdiction:
This Hon’ble Court has jurisdiction to entertain this suit as the Suit Property is situated
within the territorial jurisdiction of this Court.
6. Reliefs Sought:
The Plaintiff prays for the following reliefs:
a. A decree of declaration that the Plaintiff is the lawful owner of the Suit Property situated
at [address].
b. A decree restraining the Defendant from interfering in the Plaintiff’s peaceful possession
and enjoyment of the Suit Property.
c. Any other relief this Hon’ble Court deems fit and proper under the circumstances.
7. Valuation:
The suit is valued at ₹[amount] for the purposes of court fees and jurisdiction, and the
requisite court fee of ₹[amount] is paid herewith.
PRAYER:
It is, therefore, most respectfully prayed that this Hon’ble Court may graciously be pleased
to:
1. Pass a decree declaring the Plaintiff as the lawful owner of the Suit Property.
2. Grant a permanent injunction restraining the Defendant from interfering with the
Plaintiff’s possession and enjoyment of the property.
3. Award costs of the suit in favor of the Plaintiff.
4. Grant any other relief deemed fit and proper by this Hon’ble Court.
Place: [City]
Date: [Date]
[Signature of Plaintiff/Advocate]
Name: [Name of Advocate]
Advocate for the Plaintiff