March 28

Change of signature certificate


                                                        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


March 28

Bank Related Affidavits

                                         ATM Proposal Letter Format
Date: _________
To,

The Branch Manager
_________ BANK 
Address: _________

Dear Sir,

SUB: OFFER OF PREMISES FOR ATM AT _________(Address of Premises).

With reference to our discussion, I wish to offer a space at the following premises for opening of your ATM. The details of the offer and the terms and conditions are as given below:

S No
Item
Offer
1
Address and Location of the Premises
_________
2
Name/s of the owner/s/ Authorized Signatories  with address and phone numbers
_________
_________
3
Whether the premise is vacant and possession is available immediately.
Yes
4
Area offered
_________ sq.ft  ( ___ X ___ )
5
Direct access and frontage
_________
6
Lease Tenure
_________

I undertake to handover the vacant and clean premises as offered above as and when the Bank accepts the offer and coveys the sanction.

Thanking you,

Yours faithfully,

(Your Name)
Contact: _________

Application for Issuance of Foreign Demand Draft / Foreign Outward Remittance
The Branch Manager,               
_________ Bank Limited
_________ Branch

Dear Sir,

Subject : Application for Issuance of Foreign Demand Draft / Foreign Outward Remittance

Currency & Amount
Beneficiary Name, Address & Account No. / IBAN
Beneficiary Bank Name, Address & SWIFT / Sort Code
Purpose of Remittance
Foreign Bank Charges
OUR / BEN / SHA

   We would like to purchase / remit _______________________ as above. In this context, we declare that the captioned transaction does not involve and is not designed for the purpose of any contravention or evasion of the provision of the Foreign Exchange Management Act 1999 or any rule, regulations, notification, direction or order issued there under.

The required A2 form, duly filled in and necessary documentary evidence in support of the said purpose are enclosed.

We request you to debit my/ our EEFC / RFC Account No.__________________________ for _________________ and the balance amount to my/ our INR Account No. __________________ along with your charges.


March 28

Format for Bail

                                             APPLICATION FOR REGULAR BAIL
IN THE COURT OF __________, HON’BLE SESSIONS
Judge ________________.

___________________
Son of ________________
R/o _________________
…….……APPLICANT/PETITIONER.

VERSUS

State of _________.
……….RESPONDENT

IN THE MATTER OF:-

FIR NO. _____ DATED __________ UNDER SECTION _____________ IPC, P.S.- ____________________.

FIRST APPLILCATION FOR REGULAR BAIL

MOST RESPECTFULLY SHOWETH:-
1- That the petitioner belongs to a respectable family and he has clean antecedents.

2- That the petitioner has been framed up and falsely implicated in the above noted case by the complainant on extraneous grounds and he is in custody since _____________.

3- That the police does not require further custody of the petitioner for the purpose of investigation in the case and the petitioner has therefore been remanded to judicial custody.

4- That the petitioner has been framed up in the case because _____________ daughter of Sh. _________________ complainant was deeply in love with the petitioner and her marriage was solemnized with Sh._____________ son ofSh. ________________,R/o House No.___________________ against her wishes on __________. Even after marriage _____________ wanted the petitioner to continue friendly relationship with her due to attachment but the petitioner always advised her that since she has been married to another person, she should try to forget her past relationship with the petitioner.

5- That the investigation of the case and thereafter the trial shall take a considerable time and the petitioner shall suffer unbearable hardship of imprisonment if he remains confined to Jail during this period.

6- That the petitioner is ready and willing to furnish bail bonds to the satisfaction of this Hon’ble court for his being released on bail.

7- That the witnesses of the prosecution are relatives of the complainant and they can not be influenced by the petitioner. The petitioner gives an undertaking to the Hon’ble court, that if he is released on bail, he shall not temper with the evidence or influence the witnesses of the prosecution and he shall abide by any condition imposed by the Hon’ble court for releasing him on bail.

It is, therefore, prayed that the petitioner/applicant may kindly be released on bail.

Dated: _________ Applicant/petitioner.


counsel:
__________

THROUGH
___________, Advocates





                                             
                                                      Bail Affidavit Format

                                                                        AFFIDAVIT
I, ____ son of ____ resident of _____ do hereby solemnly affirm and declare as under:-

1- That the case FIR No. ________ dated ________ Under section ____ IPC has been registered by the police of ____ against the accused namely ____. I am complainant in this case.

2- That I have not named the accused in the said FIR nor I identified him.

3- That the accused ____ has not committed the offence section ____ IPC as I have not seen him at the time of occurrence. So he is innocent person.

4- That I have no objection if the accused ____ is released on bail. 

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
















March 28

Agriculture Related Affidavit

                                                              Suit for Declaration Agriculture Land
                                  IN THE COURT OF CIVIL JUDGE, _____________.

___________ Versus _________

SUIT FOR DECLARATION.

Affidavit

I __________ son of Shri ________ R/o ___________ do hereby solemnly affirm and declare as under :-

1- That the defendant is recorded as owner of the following agricultural lands:-

(a) to extent of _____ share of the agricultural land bearing _____________, total measuring ______.

(b) to the extent of __________ share of the agricultural land bearing _____________, total measuring ____,

(c) to the extent of ____ share of agricultural land bearing ______, total measuring ____

(d) to the extent of ____ share of agricultural land bearing _______, total measuring ______, all the lands are situated within the revenue estate of ___________. The certified copy of the _____ for the year ____ is enclosed herewith the palint.

2- That the defendant is the ____ of the deponent and the parties to the suit constitute a ____.

3- That on ____ a family settlement took place between the deponent and the defendant vide which the defendant gave her respective shares of the suit property, mentioned in Paras No.1 (a) to 1(d) of the plaint, in favour of the deponent and since then the deponent is in actual and physical possession of the suit property mentioned in Para No.1(a) to (d) of the plaint. However, the name of the defendant still exists in the revenue records which is wrong and is not binding upon the rights, title and interest of the plaintiff.

4- That now the defendant with a malafide intention is not admitting the family settlement and she is also not admitting the claim of the deponent in respect of suit property and by getting recorded her name in the revenue records she is still declaring herself as owner of the suit property for which the defendant has got no right, title and interest to do so.

5- That the deponent asked the defendant several times to admit the claim of the deponent and to get the revenue entries corrected/incorporated in the name of the plaintiff. First of all the defendant was avoiding the requests of the plaintiffs on one pretext or the other and finally on _____ refused to accept the legitimate requests of the plaintiff.

6- That the cause of action to file the present suit firstly accrued on _______ when the family settlement took place between the deponent and the defendant. It further arose on each and every date when the deponent asked the defendant to admit the claim of the plaintiff. The cause of action finally ____ when the defendant finally refused to accept the claim of the plaintiff. This is the date when the final cause of action has arisen in favour of the deponent and against the defendant, which necessitated the institution of the present suit.

DEPONENT

VERIFICATION:

Verified that the contents of my above affidavit are true and correct to best of my knowledge and belief and nothing has been concealed therein.

Verified at ______ on _________

DEPONENT

                                                     Agriculture land Affidavit
  
IN THE COURT OF CIVIL JUDGE, SENIOR DIVISON, ___________.

______________

……Plaintiffs

VERSUS
_________________
….Defendant

SUIT FOR DECLARATION

Affidavit
I, ____________ son of Shri ____________, resident of _________________, do hereby solemnly affirm and declare as under :-

1- That the defendant are recorded owner in possession of the agricultural land comprising ___________________, total measuring _____________, which is situated with in the revenue estate of village ___________________. A copy of the Jamabandi for the year of _________________ is enclosed herewith the plaint.

2- That the plaintiffs are the real ___________ of the defendant and the parties to the suit constitute joint _____ Family.

3- That on ____________ a family settlement took place between the plaintiffs and the defendant vide which the defendant gave the suit property to the plaintiffs in equal share each (1/2 share each) and put the plaintiffs into the actual and physical possession of the suit property, mentioned in Paras No.1 of the plaint, and since then the plaintiffs are owners in possession to the extent of ½ share each of the suit property as mentioned in Para No.1 of the plaint. However, the name of the defendant still exists in the revenue records which is wrong and is not binding upon the rights, title and interest of the plaintiffs.

4- That now the defendant with a malafide intention are not admitting the family settlement and by getting the benefit of revenue entries in his name he is still declaring himself as owner in possession of the suit property for which the defendant have got no right, title and interest to do so.

5- That the plaintiffs asked the defendant several times to admit the claim of the plaintiffs and to get name of the plaintiffs recorded in the revenue records in place of his name. First of all the defendant was avoiding the requests of the plaintiffs on one pretext or the other and finally on ____________ the defendant refused to accept the legitimate requests of the plaintiffs.

6- That the cause of action to file the present suit firstly accrued on _____________ when the family settlement took place between the plaintiffs and the defendant. It further arose on each and every date when the plaintiffs asked the defendant to admit the claim of the plaintiffs and the cause of action finally ___________ when the defendant finally refused to accept the claim of the plaintiffs. Hence this is the date when the final cause of action has arisen in favour of the plaintiffs and against the defendant, which necessitated the institution of the present suit.

DEPONENT

VERIFICATION:

Verified that the contents of my above affidavit are true and correct to best of my knowledge and belief and nothing has been concealed therein.

Verified at _________ on _________
DEPONENT

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