Friday, April 16, 2010

Consumer Court In India

Will be Updated As Soon As Possible

Consumer Court in Andaman and Nicobar
Consumer Court in Andhra Pradesh
Consumer Court in Arunachal Pradesh
Consumer Court in Asom (Assam)
Consumer Court in Bihar
Consumer Court in Chandigarh
Consumer Court in Chhattisgarh
Consumer Court in Dadra and Nagar Haveli
Consumer Court in Daman and Diu
Consumer Court in Delhi
Consumer Court in Goa
Consumer Court in Gujarat
Consumer Court in Haryana
Consumer Court in Himachal Pradesh
Consumer Court in Jammu And Kashmir
Consumer Court in Jharkhand
Consumer Court in Karnataka
Consumer Court in Kerala
Consumer Court in Lakshadweep
Consumer Court in Madhya Pradesh
Consumer Court in Maharashtra
Consumer Court in Manipur
Consumer Court in Meghalaya
Consumer Court in Mizoram
Consumer Court in Nagaland
Consumer Court in Orissa
Consumer Court in Pondicherry
Consumer Court in Punjab
Consumer Court in Rajasthan
Consumer Court in Sikkim
Consumer Court in Tamilnadu
Consumer Court in Tripura
Consumer Court in Uttarakhand (Uttaranchal)
Consumer Court in Uttar Pradesh
Consumer Court in West Bengal

RTI Application Form, Right To Information Act Form

RTI Application Form

Applicant I.D. No. ______

Date:


To,
__________________
__________________



Sub:-Request for information under RTI Act

Dear Sir,

I __________________________ Son/ Daughter / Wife of ____________________ resident of _________________________________________________________ Telephone No. (with STD Code) / Mobile No. – (______) __________________ wish to seek information, under the RTI Act, _____ from _____________, ______. I, hereby, declare that I am a Citizen of India and information sought in this application will be used in the best of the Public Interest. I further assure you that, I shall not allow/ cause to use / Pass / share / display / or circulate the information received in any case and under any circumstances, with any person or in any manner which would be detrimental to the Unity / Sovereignty or against the Interest of India.

1. The information needed is in the form of ___________ Documents / Clarification.
(Please. Tick whichever applicable)
2. The Information sought pertains to your head office __________________________, ______.
(Please. Tick whichever applicable)
3. The Required Information is for the period - ___________ to ______________.
4. The information sought is related to -------- Myself / Third Party
(Please. Tick whichever applicable)




5. The particular / details of Information / Documents asked for are given below:-
________________________________________________________________________________
________________________________________________________________________________
________________________________________________________________________________
________________________________________________________________________________

6. I have deposited the required RTI Fee amount of Rs. __/- (Rupees ___ Only) towards application fee through Cash (Receipt enclosed) / Demand Draft / Banker’s Cheque / Indian Postal Order (Strike Out Whichever not Applicable) favouring ‘_____________, __________’ Payable at ___________ (the place where application is deposited). Further, I also undertake to pay any additional fees/charges (if applicable) as prescribed under the RTI Act.

Kindly provide the information as soon as possible & within time frame as stipulated under RTI Act, _____.




(Name and Signature of the Applicant)
Address: - ______________________________
Telephone No. (Office):- _______________________
(Res.):- _______________________
E-mail Address, if any _________________________


P.S. 1. ____ shall send the information at the address as given by the applicant. Return of Letter due to incomplete/ incorrect address shall not be the responsibility of the _____.
2. Separate form has to be filled up for each query.

Affidavit forms details, Notaries details , Legal forms, Legal Documents Details

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This site help to find the layout of affidavits, legal documents, forms, document sample or sample forms, if you will not be able to find the forms simply contact us, we will try find out the best solution and try to give sample affidavit or affidavit format, legal form template, which suits your need
We will also try to give details of notary public, notaries addresses, notarized document sample.

Friday, April 9, 2010

Application For Put Up The File And Permission To Withdraw The Case

IN THE COURT OF ______________

____________ VS. ________

Complaint Under Section ____ of ___ Act.

APPLICATION FOR PUT UP THE FILE AND PERMISSION TO WITHDRAW THE CASE.
Sir,
The applicant/complainant respectfully submits as under :-
1- That the above noted case has already been consigned to the record room on _________ after declaring accused as __.
2- That the complainant lodged an ____ Scheme for the withdrawal of the criminal in case the accused has paid all the interest damages along with contribution. Further he under takes to regular in payment of the contribution in future.

3- That the accused has represented the corporation for withdrawal of the case, which has been accepted by the corporation vide letter dated _________. The copy of which is enclosed herewith.

4- That as per the directions of ___________ the complainant wants to withdrawal the complaint.


It is, therefore, prayed that the file may kindly be put up from the record room and the withdrawal statement may kindly be recorded in the interest of justice

Dated __________ Applicant/complainant

___________________

Through counsel:


___________________

Suit For Permanent Injunction

IN THE COURT OF _____________

__________ Vs. _________

Suit For Permanent Injunction

Application For Permission To Withdraw The Suit


AFFIDAVIT
I, _______ son of ___________, resident of ______________, do hereby solemnly affirm and declare as under :-
1- That I have filed the accompanying application today before this Hon’ble court and the contents of which may kindly be read as part and parcel of this affidavit for the sake of brevity and avoidance of repetition.
2- That the plaintiff has narrated different facts to the counsel but the counsel for the plaintiff has misunderstood the facts and narrated some thing different.
DEPONENT.
VERIFICATION:
Verified that the contents of my above affidavit are true and correct to best of our knowledge and belief and nothing material has been concealed therein
Verified at _______ on ____________
DEPONENT

APPLICATION FOR PERMISSION TO WITHDRAW THE SUIT

IN THE COURT OF SHRI __________________

______________ Vs. ______

SUIT FOR PERMANENT INJUNCTION

APPLICATION FOR PERMISSION TO WITHDRAW THE SUIT
Sir,
The applicant/plaintiff most respectfully submits as under :-

1- That the above noted case is pending before this Hon’ble court and the same is fixed for ___________

2- That due to the technical defect and typographical error the plaintiff wants to withdraw the suit with a permission to file a fresh suit on the same cause of action. The facts were narrated to the counsel before filing of the suit but the counsel for the plaintiff has not mentioned the correct and exact facts in the suit and misrepresented the facts in Para No.__ which are not very much clear.

It is, therefore, prayed that the file may kindly be put up for today and permission to withdraw the suit may kindly be granted and further permission to file a fresh on the same cause of action may kindly be granted in favour of the plaintiff.

Dated __________ Applicant/plaintiff
___________

Through counsel:

_________________, _______________

FORMAT OF AFFIDAVIT/DECLARATION FOR CHANGE OF SIGNATURE

FORMAT OF AFFIDAVIT/DECLARATION FOR CHANGE OF SIGNATURE
(Please type this Affidavit after carefully reading the notes mentioned below the format)


AFFIDAVIT

I, __________ son/daughter/spouse of _____________ aged ___, residing at __________________, do hereby solemnly affirm and declare as under:


1. That I, Shri/Smt ___________, having signature now to be changed as copy of specimen is attached.


2. I am residing at the abovementioned address and have not changed my address in the past three years.

OR
I am residing at the abovementioned address for the past (period of time at the present address) and before that I was staying at (the earlier address ) for (period of time at the earlier address).

3. That I have changed my signature.

4. I hereby affirm that after dated _________ all the signature done by me i.e. ________________ will be as no. 2 done on specimen copy attached with affidavit and any signature done with no.1 will not considered as minw.


I am executing this declaration to be submitted to the concerned authorities for the change of signature.

I hereby state that whatever is stated herein above are true to the best of my knowledge.

Solemnly affirmed at ________ )

On this ____ day of ______ 2004 ) (Signature of the Applicant)
Deponent



Identified by me Before Me


Advocate S.E.M./ Oaths Commissioner/Notary


NOTES:
1. Affidavit should be on Non-judicial stamp paper of Rs.100/-.
2. Please do not just type this format as it is.
3. Affidavit should be attested by Notary/S.E.M/ Oaths Commissioner

SPECIMEN AFFIDAVIT FOR CHANGE IN NAME/DEED POLL AFFIDAVIT

Change in Name/DEED POLL Affidavit

SPECIMEN AFFIDAVIT FOR CHANGE IN NAME/DEED POLL AFFIDAVIT

(On Non-judicial stamp paper)
By this deed I, the undersigned ............. (New Name) Son/daughter/wife of.................................................... called ................ (old name) doing................(give profession or avocation) and resident of ............................ (address) solemnly declare:-

1. That for and on behalf of Myself and My wife and children and remitter issue wholly renounce/relinquish and abandon the use of my former name/ surname of ................... and in place thereof I do hereby assume from this date the name/surname ................. and so that I and
my wife and children remitter issue may hereafter be called, known and distinguished not by my former name/surname. but by assumed name/surname of .....................................

2. That for the purpose of evidencing such my determination declare that I shall at all times hereafter in all records, deeds and writings and in all preceedings, dealings and transactions, private as well as upon all occassions what-so-ever use and sign the name of ..................... as my name/surname in place and in substitution of my former name /surname.

3. That I expressly authorize and request all persons in general relatives and friends in particular at all times hereafter to designate and address me. my wife, my children. remitter issue by such assumed name/surname of .......................................... accordingly.

4. In witness whereof I have here unto subscribed my former and adopted name/ surname of ....................................... and ............................... affix my signature and seal. if any,
this ............................ day of ...............................
Date ........................ Signed sealed and delivered by the above name

former name ...................................................
In the presence of .............................................
Name .....................................
Address ......................................
Name
Address

Application for re-instated on duty with continuity of service, with full back wages, with other all benefits from the date of termination

REGISTERED A.D.
Dated ________
From,
__________________________

To,
_______________
Regd. Office
________________
Works: -
____________________

Subject: - Demand Notice Under Section __ of Industrial Dispute Act 1947.

Sir,
The following is submitted as under: -

1- That the workman _____________ S/o _____________ R/o ___________________ was appointed to work ______________ aforesaid, designated and posted as _________ on ___________, under the kind control and administration of its proprietor/partnership/private limited namely Shri ______________ above stated, since the appointment till verbal, illegal, unlawful, without assigning any reason and rhyme, arbitraly, against the principal of natural justice, without paying any compensatory amount, notice pay, bonus, gratuity, G.P.F., Salary due from the month _________ as per calculation, without issuing any memo, notice, charge sheet, conducting any enquiry by authorized enquiry officer, any complaint made by any one, on ___________ in evening and in oppose the workman worked continuously with punctuality, honestly as devoted workman towards his duties by discharging and rendering towards the ______________, under the kind control and administration of its proprietor/partnership/private limited .

2- That in starts the salary of workman was fixed to the tune of Rupees ____/- per month and over time extra but increased form time to time hence the salary became ____/- per month. The workman is availing benefit of ______.

3- That in salary register the aforesaid proprietor/partnership/private limited of _____________. has wrongly and illegally recorded Rupees ___________/- per month under pressure, coercion, undue influence to avoid from industrial problems while the salary of the workman is ________/- per month and duly paid till ___________ and further stated financial problem hence not paid the salary from ___________ to ________ and this became a basic reason for the termination of the services of the workman when demanded the total salary amount from _______ to _______ and at this point became angry with the workman by loosing his temperature and verbally stated the services of the workman have been terminated by the order on __________ without issuing any termination letter.

4- That the workman has been threatened for involving in some criminal cases by imposing false allegations and for facing dire consequences if tried to take any action against the proprietor/partnership/private limited before police, authority and court and stated obtaining signature over some blank and written papers at the time of appointment and occasionally without reading over them.

5- That being no notice, memo, charge sheet issued and no enquiry of any sort conducted by any authorized enquiry officer, no complaint never made by any one hence the carrier and character of the workman remained quite satisfactory without any stigma or scar but a devoted, honest and punctual workman by discharging his duties and rendering towards the firm i.e. industry.

6- That you have appointed other workman in place of the workman ____________ hence violated the provision and law of industrial dispute Act.

7- That the services of the work man has been terminated illegally, unlawfully and arbitrary, against the principles of natural justice, without assigning any reason and rhyme hence the workman has full right to be re-instated on his duty with continuity of service and with all benefits of back wages etc. from the date of termination till its re-instate.

It is therefore requested that the workman be re-instated on his duty with continuity of service, with full back wages, with other all benefits from the date of termination i.e. ___________ till its re-instate, in actual previous position like before, in the interest of law and justice.
Otherwise the workman shall be compelled to initiate proceeding against you before the authority i.e. labour-cum-conciallation officer and labour court or court of commissioner which may be competent under the jurisdiction.


Workman

________________

APPLICATION FOR EARLY HEARING OF THE CASE

In the court of _____________

_______________
Versus
_____________
SUIT FOR DECLARATION & MANDATORY INJUNCTION

APPLICATION FOR EARLY HEARING OF THE CASE

AFFIDAVIT
I, _____________ son of Shri ____________ resident of _____________ District _________, do hereby solemnly affirm and declare as under :-
1- That I have filed the above noted application today before this Hon’ble court, the contents of which may be read as part and parcel of this affidavit for the sake of brevity and avoidance of repetition.

Deponent
Verification
Verified that the contents of my above affidavit are true to best of my knowledge and belief and nothing concealed therein.
Verified at _________ on _____________
Deponent

Application for list of witness which the applicant wants to examine in his evidence

BEFORE THE INDUSTRIAL TRIBUNAL OF ___________ CUM _________


_____________ Vs. ____________

CLAIM STATEMENT

LIST OF WITNESSES

Date :_________
Sir,

The following is the list of witnesses which the applicant wants to examine in his evidence
(i) ______________ with the relevant record of ________ Register Lab Register / report register from __________ to _________, record of _________
(ii) ________ r/o with the record of Bill dated ___________ and _______ issued in favour of __________


It is, therefore, prayed that the above mentioned witnesses may kindly be summoned for the date fixed for and the applicant is ready to pay the expenses /diet money of the above said witnesses as desired by the court.
Dated APPICANT
THROUGH A.R.
___________________

Application for permission to open the premises after breaking the lock

IN THE COURT OF HON’BLE RENT CONTROLLER, __________.

_________ VERSUS _______

EXECUTION
Application for permission to open the premises after breaking the lock

Sir,

The applicant/D.H. most respectfully submits as under: -

1- That the above noted execution is pending before this Hon’ble court and is fixed for today. On ________ the Hon’ble court was on leave and the court bailiff has submitted his report stating that the premises are lying closed and there is chance of quarrel.

2- That in compliance to the orders of this Hon’ble court the bailiff reported that while executing the warrants of the possession the premises are lying locked hence the possession could not be delivered to the decree holder.

3- That the judgement debtor intentionally locked the premises to avoid the execution of the warrants of the possession ordered by this Hon’ble court.

4- That the applicant is under the impression that there are the chances of some quarrel at the spot at the time of opening of the locks hence he requires the police help at the time of opening the lock of the premises.

5- That the applicant wants to get proponed the above noted execution petition for today so that the further proceedings in the execution may take place and the warrants of possession could be executed upto the date fixed.

PRAYER:
It is therefore, prayed that the above mentioned case may kindly be heard today and the permission to open the lock of the premises may kindly be granted and it is further prayed that police aid may also be provided to the decree holder/applicant for execution of the warrants of possession.

Dated 21-07-2007 Applicant/Decree Holder

Through counsel :
_________, Advocate, ________