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Rahul Gautam Warrant Application

The document is a legal application filed by Aditya Kumar, the complainant, requesting the issuance of a bailable warrant against the accused, Rahul Gautam, who is allegedly avoiding service of notice related to a complaint. The application states that the accused's family is residing at the verified address but is intentionally not responding to legal proceedings. The complainant argues that issuing a bailable warrant is necessary to prevent irreparable loss and injury.

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Narendra Singh
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0% found this document useful (0 votes)
42 views5 pages

Rahul Gautam Warrant Application

The document is a legal application filed by Aditya Kumar, the complainant, requesting the issuance of a bailable warrant against the accused, Rahul Gautam, who is allegedly avoiding service of notice related to a complaint. The application states that the accused's family is residing at the verified address but is intentionally not responding to legal proceedings. The complainant argues that issuing a bailable warrant is necessary to prevent irreparable loss and injury.

Uploaded by

Narendra Singh
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as DOC, PDF, TXT or read online on Scribd
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IN THE COURT OF MS. ARUSHI PARWAL, J.M.F.C.

KARKARDOOMA COURTS, EAST, DELHI

CC NI ACT/653/2023

IN THE MATTER OF:-

Aditya Kumar …………Complainant

V/S

Rahul Gautam …………Accused Person

D.O.H. 07.03.2025

APPLICATION FOR ISSUE BAILABLE WARRANT AGAINST


THE ACCUSED PERSON

1. That Complainant has filed the present

complaint against the accused and the same is

fixed for 07.03.2025.

2. That Hon’ble court has already issued notice

to the accused in the matter but the accused

is intentionally avoiding the service of

notice in many times.

3. That legal notice of the present case was

duly served on the address mentioned in the


complaint and the same was also physically

verified by the complainant on 01.03.2025 and

the family of the accused is still residing

at the same address and the house is belongs

to the accused himself but with melafide

intention to hide accused from legal

proceeding they are not responding the

notice. Therefore, May I request that this

Hon’ble Court be pleased to issue a bailable

warrant against the accused person in the

interest of justice.

4. That it is submitted that the issuing of a

bailable warrant against the accused is very

much necessary at this stage.

5. That the present application is being made in

the interest of justice and is most bonafide

one if the present application is not allowed

then the complainant shall suffer irreparable

loss and injury.

PRAYER:-
It is, therefore, most respectfully

prayed that this Hon’ble court may kindly be

issuing of bailable warrant against the

accused on the address mentioned in

complaint, in the interest of justice.

APPLICANT/COMPLAINAN
T
Delhi
Dated:- Through

COUNSEL

IN THE COURT OF MS. ARUSHI PARWAL, J.M.F.C.


KARKARDOOMA COURTS, EAST, DELHI
CC NI ACT/653/2023

IN THE MATTER OF:-

Aditya Kumar …………Complainant

V/S

Rahul Gautam …………Accused Person

AFFIDAVIT

I, Aditya Kumar Singh S/o Narendra Kumar


Singh, aged about 29 years R/o S-640, Nehru
Enclave, School block Bahamad, East Delhi-
110092 do hereby solemnly affirm and declare as
under:-

1.That I am the complainant in the above noted

case and as such well conversant with the

facts and circumstances of the case and I am

competent to swear the present affidavit.

2.That the present application has been drafted

by the counsel under my instruction and the

contents of the same have been read over and

explained to me in the vernacular and I have

fully understood the same and the present

complaint may kindly be read as part of this


affidavit also they are not being repeated

here for the sake of brevity. The statement

of facts made therein is true to my own

knowledge and I verify the same to be true,

correct and genuine.

DEPONENT
Verification:-

Verified at Delhi on this ____day of

March, 2025 that the contents of the above

affidavit are true and correct and nothing has

been concealed therefrom.

DEPONENT

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