Moturi Divorce
Moturi Divorce
Moturi Divorce
VERSUS
TAKE NOTICE that the PETITIONER MICAH OMBATI MOTURI herein has appointed
the firm of KIBOI& COMPANY ADVOCATES to act on his behalf in this matter.
HENCEFORTH all future correspondences should be addressed to KIBOI & COMPANY
ADVOCATES, COFFEE PLAZA 2ND FLOOR ROOM 4, HAILE SELLASIE AVENUE, P.O.
BOX 36090-00200 NAIROBI.
TO BE SERVED UPON:
LUCY BOSIBORI KINANGA
TEL: 0796905070
KEROKA
VERSUS
NOTICE TO APPEAR
TAKE NOTICE that you are required, within fifteen (15) days from the date of
service hereof upon you, inclusive of the day of such service, to enter an appearance
either in person or by your advocate at the Divorce Registry at the CHIEF
MAGISTRATE’S COURT AT MILIMANI, NAIROBI. Should you think fit so to do, and
thereafter to make answer to this Petition and that in default of your so doing, the court
will proceed to hear the Petition and pronounce judgment, your absence
notwithstanding?
The Petition is filed and this notice is issued by MICAH OMBATI MOTURI
………………………………………….
CHIEF MAGISTRATE
MILIMANI COMMERCIAL COURTS
NOTE: Any person entering an appearance must at the same time furnish an address
for service.
REPUBLIC OF KENYA
IN THE CHIEF MAGISTRATE’S COURT AT NAIROBI
MILIMANI COMMERCIAL COURTS
DIVORCE CAUSE NO. …………. OF 2023
VERSUS
(Pursuant to Section 8 of the Matrimonial Causes Act, Rules 3 and 4 of the Matrimonial
causes Rules and all other enabling provisions of the Law )
THE HUMBLE PETITION OF MICAH OMBATI MOTURI (hereinafter called ‘’The
Petitioner’’) showeth: -
2. THAT the Petitioner and the Respondent have since the celebration of their
marriage resided in KAYOLE, Nairobi.
3. THAT the parties are no longer cohabiting
b) THAT the Respondent in 2021 deserted the Petitioner hence and the parties
remain in separation ever since.
c) THAT as a result of the above, the Petitioner avers that the marriage has
irretrievably broken down due to the Respondent’s desertion
d) THAT the Petitioner has neither condoned nor connived the Respondents cruelty
and facts aforementioned
e) THAT this Petition has not been presented in collusion with the Respondent
f) THAT this Court has jurisdiction to hear and determine this matter
9. The Petitioner believes that the marriage has irretrievably broken down.
10. THAT the aforesaid acts of the Respondent have caused the Petitioner
mental anguish and have seriously affected his life and that of the issue of
marriage.
11. THAT the Petitioner has not connived, been accessory to or condoned the
actions alleged herein.
12. THAT the Petition is not presented or prosecuted in collusion with the
Respondent or any other person.
13. THAT this court has jurisdiction to hear and determine this Petition.
TO BE SERVED UPON:
LUCY BOSIBORI KINANGA
TEL: 0796905070
KEROKA
VERSUS
VERIFYNG AFFIDAVIT
BEFORE ME ] DEPONENT
VERSUS
PETITIONER’S STATEMENT
I have had a strained matrimonial relationship with the Respondent spanning 7 years
during which the Respondent deserted our matrimonial house sometimes in the year
2021,with all our investments as a family parting away with all our households with her
new lover, ceased communicating as wife and husband. In addition to this, I have been
denied my conjugal rights by the Respondent during this entire time, failed to take due
regard of my welfare, acted irresponsibly, despite my several advice and her promise to
change her ways.
In view of all this tribulations, I have opted to file this suit for divorce taking into
consideration all the failed attempts to reconcile and grow a family based on Christian
morals.
SIGNED BY ME
_______________________________
MICAH OMBATI MOTURI (PETITIONER)