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Preponment Application.

draft for preponment application

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0% found this document useful (0 votes)
415 views4 pages

Preponment Application.

draft for preponment application

Uploaded by

mansisingh1029
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
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Download as DOCX, PDF, TXT or read online on Scribd
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IN THE HON’BLE COURT OF SH.B.

K AWASTHI,
LD.PRINCIPAL JUDGE, DISTRICT COURT,NEW DELHI
CS NO.129/2024

IN THE MATTER OF:


SMT SANTOSH GUPTA ….APPLICANT
VERSUS
SH SAHIL GUPTA …..RESPONDENT
FIR: 123/2024
U/S: 420of IPC
Police Station: City Rampura,
District Bathinda
LAST DATE: 1.09.2024
NEXT DATE: 2-11-2024

HUMBLE APPLICATION ON BEHALF OFAPPLICANT FOR SEEKING


PREPONMENT/EARLY HEARING OF NEXT DATE OF HEARING

MOST RESPECTFULLY SHOWETH:


1. That the above-mentioned case is pending adjudication before
this Hon’ble Court and is fixed for hearing on dated 2-11-2024.
2. That the present application is being moved by the Applicant for
urgent and early hearing of the matter.
3. That the Applicant is a senior citizen aged 76 years and is 80%
disabled that has made the Applicant bedridden. That the Applicant has
also Suffered one major heart-attack leading to two by-ass surgeries which has made it
difficult for the Applicant to carry out the day-to-day activities of life. The copy of the
medical report of the Applicant is annexed and marked herewith as ANNEXTURE-A/1.
4. That the present application has been moved bonafidely in the higher
interest of justice and allowing the present application will not prejudice
the rights of the Respondent.
5. That in the view of above enumerated circumstances, the Applicant
humbly prays this Hon’ble Court to kindly prepone the next date fixed for
the matter i.e.25-09-2024 and fix the matter for any shortest date possible
as this Court deems fit.
PRAYER

In the light of the facts and circumstances as a submitted and contented


above, the Applicant most humbly and respectfully prays to this Hon’ble
Court to kindly prepone the next date fixed for the matter i.e.25-09-2024
and fix the matter for any shortest date possible as this Hon’ble Court
Deems fit.

Pass any other order the Hon’ble court may deem fit in the facts and
circumstances of the present case.

NEW DELHI
DATED:06-09-2024
APPLICANT

THROUGH
COUNSEL

KHWAHISH GUTA
(ADVOCATE)
KK LAW FIRM
26B, SECTOR-6,DWARKA,
DELHI-110086
PH.NO. 9088888888
E-MAIL:[email protected]

DATE: 06-09-2024
PLACE: NEWDELHI
INTHEHON’BLECOURTOF SH.B.K AWASTHI,
LD.PRINCIPAL JUDGE, DISTRICT COURT, NEW DELHI
CSNO.129/2024

INTHEMATTEROF:
SANTOSH GUPTA ….APPLICANT
VERSUS
SAHIL GUPTA …..RESPONDENT

AFFIDAVIT

I, Santosh gupta, aged 76 years, D/O Late Shri. Mukesh Prasad,R/O H. No. 23,
Sector 9,Rohini,Delhi–110085,do here by solemnly affirm and state as under:

1. That I am the Applicant in the present case and I am well conversant


with the facts and circumstances of the present case and hence competent
to swear the present affidavit.
2. That I have gone through the contents of the present application drafted
by my Counsel under my instructions and the facts stated there in are
true and correct to my knowledge and be read as part and parcel of this
Affidavit and are not being repeated here for the sake of brevity.
3. That the contents of the application have been read over to me
and understood by me in my vernacular and I endorse the same.

(DEPONENT)
VERIFICATION:
Verified at Delhi on this the 6 day of September, 2024, that the contents of the
aboveaffidavitaretrueandcorrecttothebestofmyknowledgeandbeliefand no part of
it is false therein and nothing has been concealed there from.
(DEPONENT)

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