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Cheque Bounce & NI Act

REPLICATION ON BEHALF OF THE PLAINTIFF TO THE WRITTEN STATEMENT FILED BY THE DEFENDANTS

Download REPLICATION ON BEHALF OF THE PLAINTIFF TO THE WRITTEN STATEMENT FILED BY THE DEFENDANTS format in India. Ready-to-use legal draft for Cheque Bounce & NI Act.

IN THE COURT OF MS. SWATI SINGH, LD. M.M.;

TIS HAZARI COURTS, DELHI

C.C. NO. ___/14

IN THE MATTER OF:

____ VERSUS M/_____

U/S 138 N.I. Act

P.S.: _____

N.D.O.H.: 16.01.2017

APPLICATION FOR SUMMONING THE WITNESSES

MOST RESPECTFULLY SHOWETH:

  1. That the captioned case is pending before this Hon’ble Court and now fixed for \_\_\_\_\_\_\_\_.
    
  2. That for the purpose of adducing evidence from the officials of STO / VAT \_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_, New Delhi-110001, in respect of purchase record of M/\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_, (TIN No.\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_) from the M/s. \_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_ (TIN No.\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_).
    
  3. That it is necessary to summon the aforesaid witness with bring the record of the following period are given below;-
    

Sr. No. Quarter Period

i. IIIrd Quarter 2010-2011,

ii. IIIrd Quarter 2011-2012

iii. IVth Quarter 2012-2013

iv. Ist Quarter 2013-2014

PRAYER

It is most respectfully prayed that this Hon’ble Court may kindly be pleased to allow the present application and may summon the above mentioned witness with the official record as mentioned on filing P.F., in the interest of justice.

DELHI COMPLAINANT

DATED:

THROUGH

_____________________

      ADVOCATES

      _____________________, New Delhi-110013

IN THE COURT OF SH. DEVENDER KUMAR JANGALA, ADJ, TIS HAZARI COURTS, DELHI

CIVIL SUIT NO. /15

IN THE MATTER OF:

_____________________ ...PLAINTIFF

VERSUS

___________________ ...DEFENDANT

APPLICATION FOR SUMMONING THE WITNESSES

MOST RESPECTFULLY SHOWETH:

  1. That the captioned matter is pending before this Hon’ble Court and now fixed for \_\_\_\_\_\_\_\_.
    
  2.      That for the purpose of adducing evidence from the officials of STO / VAT \_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_, New Delhi-110001, in respect of purchase record of M/\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_, (TIN No.\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_) from the M/s. \_\_\_\_\_\_\_ (TIN No.\_\_\_\_\_\_\_\_\_).
    
  3.      That it is necessary to summon the aforesaid witness with bring the record of the following period are given below;-
    

Sr. No. Quarter Period

i. Ist Quarter 2013-2014

PRAYER :-

It is most respectfully prayed that this Hon’ble Court may kindly be pleased to allow the present application and may summon the above mentioned witness with the official record as mentioned on filing P.F., in the interest of justice.

DELHI PLAINTIFF

DATED:

THROUGH

____________________

      ADVOCATES

      _____________________, New Delhi-110013

IN THE COURT OF SH. DEVENDER KUMAR JANGALA, ADJ, TIS HAZARI COURTS, DELHI

CIVIL SUIT NO.___/15

IN THE MATTER OF:

___________ ...PLAINTIFF

VERSUS

______________________ ...DEFENDANT

APPLICATION FOR SUMMONING THE WITNESSES

MOST RESPECTFULLY SHOWETH:

  1. That the captioned matter is pending before this Hon’ble Court and now fixed for \_\_\_\_\_\_\_\_\_.
    
  2. That for the purpose of adducing evidence from the officials of STO / VAT \_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_, New Delhi-\_\_\_\_\_, in respect of purchase record of M/\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_, (TIN No.\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_) from the M/s. \_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_ (TIN No.\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_\_).
    
  3. That it is necessary to summon the aforesaid witness with bring the record of the following period are given below;-
    

Sr. No. Quarter Period

i. IIIrd Quarter 2010-2011,

ii. IIIrd Quarter 2011-2012

iii. IVth Quarter 2012-2013

iv. Ist Quarter 2013-2014

PRAYER

It is most respectfully prayed that this Hon’ble Court may kindly be pleased to allow the present application and may summon the above mentioned witness with the official record as mentioned on filing P.F., in the interest of justice.

DELHI PLAINTIFF

DATED:

THROUGH

_____________________

      ADVOCATES

      _____________________, New Delhi-110013

IN THE COURT OF SH. DEVENDER KUMAR JANGALA, ADJ, TIS HAZARI COURTS, DELHI

CIVIL SUIT NO.___/15

IN THE MATTER OF:

______-_ ...PLAINTIFF

VERSUS

____________ ...DEFENDANT

APPLICATION FOR SUMMONING THE WITNESSES

MOST RESPECTFULLY SHOWETH:

  1. That the captioned matter is pending before this Hon’ble Court and now fixed for \_\_\_\_\_\_\_\_\_.
    
  2.      That for the purpose of adducing evidence in respect of the case no.\_\_/15 some original documents are required i.e. original cheques and retuning memos which is laying in judicial file i.e. C.C. No.\_\_\_\_/1, case title \_\_\_\_ vs \_\_\_\_\_\_\_\_\_\_ in the court of Ms. Swati Singh, Ld. M.M., Tis Hazari Courts, Delhi.
    
  3.      That it is necessary to summon the following witnesses with judicial file:
    

Concerned officials from the court of Ms. Swati Singh, Ld. M.M., Tis Hazari Courts, Delhi, with the judicial file i.e. C.C. No.____/1, case title ________ vs M/s___________.

PRAYER

It is most respectfully prayed that this Hon’ble Court may kindly be pleased to allow the present application and may summon the above mentioned witness on filing P.F., in the interest of justice.

DELHI PLAINTIFF

DATED:

THROUGH

_____________________

      COUNSELS FOR APPELLANT

      _____________________, New Delhi-110013

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