Professional Documents
Culture Documents
VERSUS
MEMO OF PARTIES
SHIVESH SHARMA,
S/O DR. SHISHIR SHARMA
R/O RLY. QRT No.- 204,
RAILWAY COLONY, RANGATAND,
DHANBAD,
JHARKHAND, ,
826001
PLAINTIFF
VERSUS
PLAINTIFF
THROUGH
DHANBAD:
DATED: FEBRUARY ADVOCATE
SUDHIR SINHA.
MANATAND, MADIGODOWN,
DHANBAD
MOBILE: 7485075009
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INDEX
PLAINTIFF
THROUGH
DHANBAD:
DATED: FEBRUARY ADVOCATE
SUDHIR SINHA.
MANATAND, MADIGODOWN,
DHANBAD
MOBILE: 7485075009
VERSUS
LIST OF DOCUMENTS
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S.No. PARTICULARS C.FEE PAGE NO.
1 ANNEXURE P1
2 ANNEXURE P2
3. ANNEXURE P3
4 ANNEXURE P4
5. ANNEXURE P5
6.. ANNEXURE P6
7. ANNEXURE P7
8. ANNEXURE P8
9. ANNEXURE P9.
PLAINTIFF
THROUGH
DHANBAD:
DATED: FEBRUARY ADVOCATE
SUDHIR SINHA.
MANATAND, MADIGODOWN,
DHANBAD
MOBILE: 7485075009
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IN THE COURT OF CIVIL JUDGE, (SENIOR DIVISION) AT DHANBAD
VERSUS
1. That the Plaintiff is filing the present summary suit under order
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pay a sum amounting to Rs ………………. Along with pendente lite
2. That the plaintiff had appointed Dr. Shishir Sharma as his lawful
2018 to file the present suit as he is aware of the entire facts and
4. That the brief facts arising for the filing of present civil suit are
hereinafter mentioned.
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thousand only) under Construction linked payment plan of
7. That the details of aforesaid payment which was dully receipt and
formalities and the contract will be revived soon as per policy and
work has not started at site even at the end of December 2015
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whereas the Defendant claimed that the possession would be
11. That since the construction work had not started at site, the
No. No.
1,00,000/- Ltd,
Pitampura,
New Delhi
1,00,000/- Ltd,
Pitampura,
New Delhi
1,00,000/- Ltd,
Pitampura,
New Delhi
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4. 327931 Rs 25.05.2017 Axis Bank
1,42,000/- Ltd,
Pitampura,
New Delhi
13. That it is not out of context to mention herein that the Defendant
14. That it is submitted that first two cheques had been honored by
Closed” vide memo dated 26th April 2017 and 18 August 2017
(Rupee Two lakhs and forty thousand) without any demur and
16. That it is humbly submitted that the plaintiff had not sought any
relief through this plaint which were not fall under the purview
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17. That the cause of action for filing the present suit arose for the
first time arose July 2014 when the plaintiff had made payment
against the defendant as the defendant has still not paid the
18. That the value for the purpose of suit for money decree and
per court fees Act as and when ordered by this Hon`ble Court.
PRAYER
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A) Pass an order thereby directing the respondent/Opp. party to
VERIFICATION:
Verified that the contents of the above-mentioned paragraphs
………………of the plaint are true and correct to best of my knowledge and
belief and the last paragraph is the prayer.
Verified at Dhanabd on___________
PLAINTIFF
THROUGH
DHANBAD:
DATED: FEBRUARY ADVOCATE
SUDHIR SINHA.
MANATAND, MADIGODOWN,
DHANBAD
MOBILE: 7485075009
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IN THE CONSUMER DSIPUTE REDRESSAL FORUM VIII, ISBT KASHMIRI
GATE, AT DELHI
VERSUS
AFFIDAVIT
Deponent
VERIFICATION :-
Deponent
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VAKALATNAMA
BEFORE THE CONSUMER DISPUTE REDRESSAL FORUM VIII , AT I.S.B.T., KASHIMIRI GATE
AT DELHI
VERSUS
Defendant/Respondent/Accused
M/S. EARTHCON INFRASTRUCTRE PVT. LTD.
KNOW ALL to whom these present shall come that I, DR. SHISHIR SHARMA, S/o
…………………………, R/O :- RLY. QRT No.- 204, RAILWAY COLONY,
RANGATAND,DHANBAD, JHARKHAND, 826001 duly appointed attorney of plaintiff. The
above named Plaintiff , do hereby appoint
Sudhir Kumar Sinha ( Adv.) D/1249/2005, A-14, LOWER GROUND FLOOR, NEW
FRIENDS COLONY, DELHI 110065 - 7485075009
herein after called the advocate/s) to be my/our Advocate in the above noted case
authorized him :-
To act, appear and plead in the above-noted case in this Court or in any other
Court in which the same may be tried or heard and also in the appellate Court including
High Court subject to payment of fees separately for each Court by me/ us.
To sign, file verify and present pleadings, appeals cross objections or petitions for
execution review, revision, withdrawal, compromise or other petitions or affidavits or
other documents as may be deemed necessary or proper for the prosecution of the said
case in all its stages.
To file and take back documents to admit and/or deny the documents of opposite
party.
The deposit, draw and receive money, cheques, cash and grant receipts thereof
and to do all other acts and things which may be necessary to be done for the progress
and in the course of the prosecution of the said case.
To appoint and instruct any other Legal Practitoner, authorizing him to exercise
the power and authority hereby conferred upon the Advocate whenever he may think it
to do so and to sign the Power of Attorney on our behalf.
And I/We the undersigned do hereby agree to ratify and confirm all acts done by
the Advocate or his substitute in the matter as my/our own acts, as if done by me/us to
all intents and purposes.
And I/We undertake that I / we or my /our duly authorized agent would appear in the
Court on all hearings and will inform the Advocates for appearance when the case is called.
And I /we undersigned do hereby agree not to hold the advocate or his substitute
responsible for the result of the said case. The adjournment costs whenever ordered by
the Court shall be of the Advocate which he shall receive and retain himself.
And I /we the undersigned do hereby agree that in the event of the whole or part
of the fee agreed by me/us to be paid to the Advocate remaining unpaid he shall be
entitled to withdraw from the prosecution of the said case until the same is paid up. The
fee settled is only for the above case and above Court.
I/We hereby agree that once the fee is paid. I /we will not be entitled for the refund
of the same in any case whatsoever. If the case lasts for more than three years, the
advocate shall be entitled for additional fee equivalent to half of the agreed fee for every
addition three years or part thereof.
IN WITNESS WHEREOF I/We do hereunto set my /our hand to these presents the
contents of which have been understood by me/us on this th day of February 2018.
Advocate Client
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