IN THE COURT OF (District and Court Name)
IN THE COURT OF (District and Court Name)
Bail Application Under Sections 436 & 437 of the Code of Criminal Procedure, 1973
The humble petition of [Your Name], resident of [Your Address], respectfully showeth:
1. Introduction
• That the petitioner is [Your Name], residing at [Your Address] since [Number] years.
• That the petitioner was arrested by the police officials of [Police Station Name] on
[Date of Arrest] for the alleged offence punishable under Section(s) [Mention Section
Numbers] of the Indian Penal Code (IPC).
• (For Bail under Section 436): The offence under which the petitioner is charged is
bailable. [OR] The offence is punishable with imprisonment for a term which may not
extend to [Number] years (mention maximum punishment if less than 7 years).
• (For Bail under Section 437): The petitioner is a person of [Your Age] years and has
no prior criminal history.
• The petitioner has strong roots in the community and is a permanent resident of [Your
Address]. There is no chance of absconding.
• The petitioner undertakes to cooperate with the investigation and appear before the
Court on all dates of hearing.
• [Mention any other relevant grounds for bail, such as age, health condition, or
dependence of family members].
4. Prayer
• In view of the above submissions, the petitioner humbly prays that this Hon'ble Court
may be pleased to:
o Grant bail to the petitioner in the above-mentioned case on such terms and
conditions as this Hon'ble Court may deem fit.
o Pass any other order that this Hon'ble Court deems just and proper in the
interest of justice.
Dated: [Date]
Petitioner
[Your Signature]
[Your Name]
IN THE HIGH COURT OF [State Name] AT [City Name]
[Your Name] .....Petitioner
Versus
Anticipatory Bail Application Under Section 438 of the Code of Criminal Procedure,
1973
The humble petition of [Your Name], resident of [Your Address], respectfully showeth:
1. Introduction
• That the petitioner is [Your Name], residing at [Your Address] since [Number] years.
2. Apprehension of Arrest
4. No Prejudice to Investigation
• The petitioner is confident that a fair investigation will reveal his/her innocence.
Granting anticipatory bail will not prejudice the investigation in any way.
5. Prayer
• In view of the above submissions, the petitioner humbly prays that this Hon'ble Court
may be pleased to:
o Grant anticipatory bail to the petitioner in the event of his/her arrest in
connection with the aforementioned offence.
o Permit the petitioner to appear before the Arresting Officer/Investigating
Officer and furnish bail bonds as required.
o Pass any other order that this Hon'ble Court deems just and proper in the
interest of justice.
Dated: [Date]
Verified
Petitioner
[Your Signature]
[Your Name]
IN THE HIGH COURT OF [State Name] AT [City Name]
[Your Name] .....Appellant
Versus
Appeal from the Judgment and Order dated [Date] passed by the [Court Name],
[District Name] in [Case Type] Case No. [Case Number]
Memorandum of Appeal
1. Introduction
• The Appellant, [Your Name], was convicted by the learned [Court Name], [District
Name] vide its Judgment and Order dated [Date] in [Case Type] Case No. [Case
Number].
2. Grounds of Appeal
• The learned [Court Name] erred in [State specific grounds of appeal. This could
include]:
o Misinterpretation of law: The Court misinterpreted the relevant sections of
the [Act Name] under which the Appellant was charged.
o Misapprehension of facts: The Court failed to consider crucial evidence that
established the Appellant's innocence.
o Procedural Errors: The trial proceedings were vitiated by procedural errors
that denied the Appellant a fair trial. (e.g., Improper admission of evidence,
denial of opportunity to present a defense)
o Excessive Sentence: Even if the conviction is upheld, the sentence awarded
by the lower court is excessive and deserves to be set aside.
• The Appellant will elaborate on these grounds with detailed arguments and citations
to relevant case law in the body of the Appeal.
3. Relief Claimed
• In light of the above-mentioned grounds, the Appellant humbly prays that this Hon'ble
Court may be pleased to:
o Allow this Appeal and set aside the conviction and sentence passed by the
learned [Court Name].
o Acquit the Appellant of all charges.
o [**Alternatively, if seeking a lesser sentence:] Reduce the sentence awarded
by the lower court.
o Pass any other order that this Hon'ble Court deems just and proper in the
interest of justice.
Dated: [Date]
Verified
Appellant
[Your Signature]
[Your Name]
IN THE SUPREME COURT OF INDIA
[Your Name] .....Petitioner
Versus
Special Leave Petition (Civil/Criminal) No.: [Leave Petition Number (if assigned)]
Against the Judgment and Order dated [Date] passed by the High Court of [State
Name] at [City Name] in [Appeal Type] Appeal No. [Appeal Number]
1. Introduction
• The Petitioner, [Your Name], was aggrieved by the Judgment and Order dated [Date]
passed by the High Court of [State Name] at [City Name] in [Appeal Type] Appeal
No. [Appeal Number].
• The impugned judgment of the High Court involves a substantial question of law of
national importance having a bearing on the interpretation of [Mention Specific
Law/Article of Constitution].
• The High Court has failed to consider the settled legal position laid down by this
Hon'ble Court in [Case Name(s)] on the relevant issue.
• The High Court's judgment has caused grave injustice to the Petitioner and resulted in
a miscarriage of justice.
• [Mention any other relevant grounds that make the case fit for consideration by the
Supreme Court.]
3. Prayer
• In view of the above submissions, the Petitioner humbly prays that this Hon'ble Court
may be pleased to:
o Grant special leave to appeal against the impugned Judgment and Order dated
[Date] passed by the High Court of [State Name] at [City Name] in [Appeal
Type] Appeal No. [Appeal Number].
o Allow this Appeal and set aside the Judgment and Order of the High Court.
o [**State the specific relief sought, e.g., acquittal, quashing of order, directing
a new trial]
o Pass any other order that this Hon'ble Court deems just and proper in the
interest of justice.
4. Verification
• I, the above-named Petitioner, do hereby verify that the contents of this petition are
true to the best of my knowledge and belief.
Dated: [Date]
Verified
Petitioner
[Your Signature]
[Your Name]
IN THE SUPREME COURT OF INDIA
[Your Name/NGO Name (if filing on behalf of an NGO)] .....Petitioner
Versus
1. Introduction
• This Public Interest Litigation (PIL) is being filed to address the issue of [Mention the
specific issue of public interest]. This issue has a widespread and detrimental impact
on the lives of [Mention the affected population group].
• [Provide a concise description of the facts and events that led to the filing of the PIL.
Include relevant dates, statistics, and any reports (if available) to support your claims.]
• [Mention any specific actions or inaction by the government authorities that violate
the fundamental rights of the affected population or cause harm to the public interest.]
5. Prayer
• In light of the above submissions, the Petitioner humbly prays that this Hon'ble Court
may be pleased to:
o Issue a writ of [Mention the specific writ - Mandamus, Certiorari, Prohibition,
Habeas Corpus - most suited to address the issue] directing the Respondents to
[State the specific action you want the authorities to take].
o Issue any other directions/orders that this Hon'ble Court deems fit to ensure
the protection of the fundamental rights/public interest in this matter.
6. Verification
• I, the above-named Petitioner, do hereby verify that the contents of this petition are
true to the best of my knowledge and belief.
Dated: [Date]
Verified
Petitioner
[Your Signature]
WHEREAS, Seller desires to sell, and Buyer desires to purchase, the certain assets (the
"Assets") as hereinafter described.
NOW, THEREFORE, in consideration of the mutual covenants hereinafter set forth, the
parties agree as follows:
1.1 Seller agrees to sell, convey, transfer, and deliver to Buyer, and Buyer agrees to purchase
from Seller, all of Seller's right, title, and interest in and to the following assets (the
"Assets"):
1.2 Exclusions
The sale of the Assets excludes the following (the "Excluded Items"):
2. Purchase Price
2.1 The purchase price for the Assets (the "Purchase Price") shall be [Dollar Amount]
payable as follows:
• Seller has the full right, power, and authority to enter into this Agreement and to sell
the Assets.
• The Assets are free and clear of all liens and encumbrances (except for those
disclosed in writing to Buyer).
• The financial statements of Seller accurately reflect its financial condition.
• Buyer has the full right, power, and authority to enter into this Agreement and to
purchase the Assets.
• Buyer has sufficient financial resources to fulfill its obligations under this Agreement.
4. Closing
4.1 The closing of the sale of the Assets (the "Closing") shall take place on or before [Date]
at [Location] or such other date and location as mutually agreed upon by the parties (the
"Closing Date").
5. Conditions to Closing
The obligation of each party to consummate the transactions contemplated by this Agreement
is subject to the satisfaction or waiver of the following conditions (the "Conditions"):
6. General Provisions
6.1 This Agreement shall be governed by and construed in accordance with the laws of the
State of [State].
6.2 This Agreement constitutes the entire agreement between the parties with respect to the
subject matter hereof and supersedes all prior or contemporaneous communications,
representations, or agreements, whether oral or written.
6.3 This Agreement may be amended only by a written instrument signed by both parties.
IN WITNESS WHEREOF, the parties hereto have executed this Agreement as of the date
first written above.
[Seller Name]
By: _______________________
Name: _______________________
Title: _______________________
[Buyer Name]
By: _______________________
Name: _______________________
Title: _______________________
IN THE COURT OF [District Judge/Family Court]
[District]
[Plaintiff Name], Wife (hereinafter referred to as the ‘Plaintiff’), residing at [Full Address]
Versus
Suit for Maintenance under Section 18 of the Hindu Adoption and Maintenance Act,
1956
1. Parties: The Plaintiff and the Defendant are Hindus by religion and were married
according to Hindu rites and ceremonies on [Date of Marriage] at [Place of Marriage].
A copy of the marriage certificate is annexed hereto and marked as Exhibit P-1.
2. Issue of the Marriage: There are [Number] children born out of the wedlock,
namely:
o [Child 1 Name], [Date of Birth].
o [Child 2 Name] (if applicable), [Date of Birth] (and so on).
3. Cohabitation and Separation: The Plaintiff and Defendant cohabited together as
husband and wife at [Address of Cohabitation] until [Date of Separation]. Since then,
the Plaintiff has been living separately due to [Brief reason for separation, e.g.,
cruelty, desertion].
4. Defendant’s Neglect: The Defendant has neglected to maintain the Plaintiff despite
having the means to do so. The Defendant’s income/earnings are [State source of
income and estimated amount] which is sufficient to provide for the Plaintiff’s needs.
5. Plaintiff’s Standard of Living: The Plaintiff is accustomed to a
moderate/comfortable standard of living, which included [List essential expenses,
e.g., housing, food, clothing, medical care].
6. Plaintiff’s Inability to Maintain Herself: The Plaintiff is [State reason for inability
to maintain herself, e.g., unemployed, homemaker with no independent income]. Due
to this, the Plaintiff is unable to meet her basic needs and those of the children (if
applicable).
7. Quantum of Maintenance: The Plaintiff requires a monthly sum of ₹ [Amount] for
her maintenance and an additional ₹ [Amount] for the maintenance of the minor
child(ren). This amount is justified considering the Defendant’s income and the
Plaintiff’s standard of living.
8. Prayer: In view of the aforementioned facts and circumstances, the Plaintiff humbly
prays that this Hon'ble Court may be graciously pleased to:
o Grant a decree in favor of the Plaintiff directing the Defendant to pay
maintenance of ₹ [Amount] per month for the Plaintiff and an additional ₹
[Amount] per month for the maintenance of the minor child(ren).
o Award pendente lite maintenance (i.e., maintenance during the course of the
lawsuit) at the same rate as the aforementioned amount.
o Pass such other order or orders as this Hon'ble Court may deem fit and proper
in the facts and circumstances of the case.
[Signature of Plaintiff]
[Name of Advocate]
Verification
I, the above-named plaintiff, do hereby verify that the contents of paragraphs 1 to 8 of this
petition are true to my knowledge and belief and no part of it is false or misleading.
[Signature of Plaintiff]
[Signature of Advocate]
A sale deed is a legal document that finalizes the transfer of ownership of a property from a
seller to a buyer. It acts as conclusive proof that the sale has been completed and the buyer is
now the legal owner. Here's a breakdown of the key details mentioned in a sale deed:
Parties Involved:
• Buyer and Seller Details: The sale deed includes complete information about both
parties involved in the transaction, including their full names, age, addresses, and
contact details.
Property Description:
• Location and Type: The property address, type (land, apartment, house etc.), and any
specific features are clearly mentioned.
• Dimensions and Area: The exact size of the property, including its area and any
relevant dimensions, are included.
Sale Consideration:
• Total Sale Price: The total amount for which the property is being sold is clearly
stated.
• Payment Details: The breakdown of the payment is mentioned, specifying the
amount paid as advance, the remaining balance, and the mode of payment.
• Possession Date: The date on which the buyer will take physical possession of the
property is specified.
• ** Indemnity Clause:** This clause protects the buyer from any future claims on the
property by a third party.
• Registration Details: The sale deed needs to be registered at the sub-registrar's office
for it to be legally valid. The deed may also mention the registration fee and stamp
duty involved.
• A sale deed is distinct from a sale agreement. The agreement outlines the terms of the
sale, while the sale deed finalizes the transfer of ownership.
• Registering the sale deed is mandatory for complete ownership transfer.
• It's advisable to have a lawyer review the sale deed before signing to ensure all details
are accurate and meet legal requirements.
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Witnesseth
WHEREAS, the Seller is the lawful owner of the property hereinafter described (the
"Property").
Property Description:
[Property Type (e.g., Land, Apartment, House)] situated at [Complete Address], [City, State],
[PIN Code]
Demarcation: [Mention details of plot number, area (in sq. ft. or sq. meters), boundaries etc.
as per land records]
CONSIDERATION:
The Seller agrees to sell and transfer the Property to the Buyer for a total consideration of
[Rupee amount in words] (₹ [Rupee amount in figures]). The Buyer agrees to purchase the
Property from the Seller for the said consideration on the terms and conditions hereinafter
mentioned.
Payment Details:
• Advance Payment: The Buyer has already paid a sum of [Rupee amount in words]
(₹ [Rupee amount in figures]) to the Seller as advance payment on [Date].
• Balance Payment: The remaining balance of [Rupee amount in words] (₹ [Rupee
amount in figures]) shall be paid by the Buyer to the Seller on [Date of Registration]
at the time of registration of this Sale Deed.
Possession:
The Seller shall hand over the vacant and peaceful possession of the Property to the Buyer on
[Date of Possession].
Indemnity Clause:
The Seller hereby covenants with the Buyer that the Seller is the absolute owner of the
Property free from all encumbrances (except [Mention any exceptions, if applicable]) and has
the full right, power, and authority to sell and transfer the Property to the Buyer. The Seller
shall indemnify and keep indemnified the Buyer from and against all claims and demands of
any third party in respect of the Property.
Registration:
This Sale Deed shall be registered under the provisions of the Indian Registration Act, 1908,
at the office of the Sub-Registrar of [Sub-Registrar Office Jurisdiction]. The registration fee
and stamp duty shall be borne by the Buyer.
IN WITNESS WHEREOF, the parties hereto have set their respective hands on the day and
year first mentioned above.
Seller
[Signature]
[Name]
Witnesses:
1. [Name]
[Address]
[Signature]
2. [Name]
[Address]
[Signature]
Agreement of Sale
This Agreement of Sale ("Agreement") is made and entered into as of [Date] by and between:
Witnesseth
WHEREAS, Seller desires to sell, and Buyer desires to purchase, the certain property
described herein (the "Property");
NOW, THEREFORE, in consideration of the mutual covenants contained herein, the parties
agree as follows:
1.1 Seller agrees to sell, convey, and transfer to Buyer, and Buyer agrees to purchase from
Seller, all right, title, and interest in and to the Property, which is more particularly described
as follows:
[Insert detailed description of the Property, including address, legal description (if
applicable), and any fixtures or personal property included in the sale]
1.2 Exceptions. The sale of the Property is made subject to the following exceptions:
[List any exceptions to the transfer of ownership, such as easements, liens, or encumbrances]
2. Purchase Price
2.1 The purchase price for the Property (the "Purchase Price") shall be [Dollar Amount]
(USD $[Amount written out]).
[Outline the payment schedule, including down payment amount, due date, and method of
payment]
3. Closing
3.1 The closing of the sale of the Property (the "Closing") shall take place at [Location] on or
before [Date], or on such other date as mutually agreed to by the parties in writing (the
"Closing Date").
3.2 At the Closing, Seller shall deliver to Buyer a good and marketable title to the Property,
free and clear of all liens and encumbrances except for those exceptions set forth in Section
1.2.
3.3 At the Closing, Buyer shall pay to Seller the balance of the Purchase Price in accordance
with Section 2.2.
(a) Seller has the full right, power, and authority to enter into this Agreement and to sell the
Property.
(b) The Property is free and clear of all liens and encumbrances except for those exceptions
set forth in Section 1.2.
(a) Buyer has the full right, power, and authority to enter into this Agreement and to purchase
the Property.
(b) Buyer has sufficient financial resources to fulfill its obligations under this Agreement.
5. Default
5.1 If either party fails to perform any of its material obligations under this Agreement, the
other party may, at its option, declare this Agreement terminated and pursue any other
remedies available to it at law or in equity.
6. Entire Agreement
This Agreement constitutes the entire agreement between the parties with respect to the
subject matter hereof and supersedes all prior or contemporaneous communications,
representations, or agreements, whether oral or written.
7. Governing Law
This Agreement shall be governed by and construed in accordance with the laws of the State
of [State].
8. Severability
If any provision of this Agreement is held to be invalid or unenforceable, such provision shall
be struck and the remaining provisions shall remain in full force and effect.
9. Notices
All notices and other communications hereunder shall be in writing and shall be deemed to
have been duly given when delivered personally, sent by certified or registered mail, postage
prepaid, return receipt requested, or sent by overnight courier, addressed as follows:
If to Seller:
If to Buyer:
10. Counterparts
This Agreement may be executed in counterparts, each of which shall be deemed an original,
but all of which together shall constitute one and the same instrument.
IN WITNESS WHEREOF, the parties have executed this Agreement as of the date first
written above.
[Seller Name]
[Buyer Name]
Versus
…Defendant
Plaint
1. The Plaintiff, [Your Name], residing at [Your Address], is filing this suit against the
Defendant, [Defendant Name], residing at [Defendant Address].
2. The Plaintiff is a [Your Profession] and deals in [Nature of Business]. The Defendant
is [Defendant’s Profession] and is engaged in the business of [Nature of Defendant’s
Business].
3. On [Date], the Plaintiff and the Defendant entered into a written contract (copy
attached as Annexure A) for the supply of [Goods/Services] by the Plaintiff to the
Defendant.
4. As per the contract, the Plaintiff was obligated to supply [Quantity] of [Goods/Details
of Services] to the Defendant at a price of [Amount] per unit. The total contract value
was [Total Amount]. The payment terms were [Payment Terms - Full
upfront/Installments/Upon Delivery etc.].
5. The Plaintiff, in good faith and as per the terms of the contract, has already supplied
[Quantity] of [Goods/Details of Services] to the Defendant on [Date(s) of Delivery].
The Defendant has acknowledged receipt of the same (copy of acknowledgement
attached as Annexure B).
6. Despite repeated reminders and requests, the Defendant has failed and neglected to
pay the sum of [Amount] being the payment due for the supplied [Goods/Services].
7. The Plaintiff has fulfilled his obligations under the contract to the extent of [Quantity]
of [Goods/Services] supplied. The Defendant’s refusal to pay for the part performance
amounts to a breach of contract.
8. Under Section 55 of the Indian Contract Act, 1872, when a contract contains a
promise to do something in return for something else, and the thing which is to be
done first is done, the promisee may refuse to do the thing which he has promised to
do in return, unless the first thing has been done or is ready and willing to be done.
9. The Plaintiff is entitled to recover the payment for the part performance of the
contract, i.e., [Amount] for the supplied [Goods/Services].
10. In the circumstances stated above, the Plaintiff prays for a decree:
o Ordering the Defendant to pay the Plaintiff a sum of Rs. [Amount] along with
interest at the rate of [Rate]% per annum from the date of filing this suit till
realization.
o Awarding costs of this suit to the Plaintiff.
11. The Plaintiff reserves the right to claim further relief as may be deemed fit in the
interest of justice.
(Date)
Place
(Your Signature)
[Your Name]
Verification
I, the above-named Plaintiff, do hereby verify that the contents of this plaint are true and
correct to the best of my knowledge and belief and no part of it is false or misleading.
(Date)
Place
(Your Signature)
[Your Name]
IN THE [District Court/ High Court] OF [District/ State]
…Plaintiff
Versus
…Defendant
Plaint
1. The Plaintiff, [Your Name], residing at [Your Address], is filing this suit against the
Defendant, [Defendant Name], residing at [Defendant Address].
2. The Plaintiff is a [Your Profession] and deals in [Nature of Business] (if applicable).
3. [Explain the nature of the transaction between Plaintiff and Defendant that led
to the money owed. Briefly describe the nature of the agreement, like a loan, sale of
goods/services, etc.].
4. On [Date], the Plaintiff [Explain how the debt arose. This could be providing details
of a written agreement, transfer of funds, delivery of goods/services etc.]. A copy of
the agreement (if any) is attached as Annexure A.
5. The total amount due from the Defendant to the Plaintiff is [Amount] (in words and
figures). This amount includes the principal sum of [Amount] (in words and figures)
and interest thereon at the rate of [Rate]% per annum from [Date] till the date of filing
this suit, which comes to [Amount] (in words and figures).
6. Despite repeated demands and reminders, the Defendant has failed and neglected to
pay the aforementioned sum of [Amount].
7. The Defendant is in breach of their obligation to pay the Plaintiff the aforementioned
amount.
8. The Plaintiff is entitled to recover the sum of [Amount] from the Defendant.
9. In the circumstances stated above, the Plaintiff prays for a decree:
o Ordering the Defendant to pay the Plaintiff a sum of Rs. [Amount] along with
interest at the rate of [Rate]% per annum from the date of filing this suit till
realization.
o Awarding costs of this suit to the Plaintiff.
10. The Plaintiff reserves the right to claim further relief as may be deemed fit in the
interest of justice.
(Date)
Place
(Your Signature)
[Your Name]
Verification
I, the above-named Plaintiff, do hereby verify that the contents of this plaint are true and
correct to the best of my knowledge and belief and no part of it is false or misleading.
(Date)
Place
(Your Signature)
[Your Name]
IN THE [District Court/ Family Court] OF [District/
State]
…Plaintiff
Versus
…Defendant
Plaint
1. The Plaintiff, [Your Name], residing at [Your Address], is filing this suit against the
Defendant, [Defendant Name], residing at [Defendant Address].
2. The Plaintiff was married to the Defendant on [Date of Marriage] under the [Mention
the Marriage Act, e.g., Hindu Marriage Act, 1955] at [Place of Marriage]. A copy of
the marriage certificate is attached as Annexure A.
3. There are [Number] children born out of this wedlock, namely [Names of Children]
aged [Ages of Children] respectively.
4. [Explain the reason for seeking maintenance. This could be due to desertion by the
spouse, cruelty, or the inability of the Plaintiff to maintain themselves due to a lack of
income or disability].
5. The Defendant is [Explain the Defendant’s financial situation. Briefly mention
their income source, assets etc.]. The Defendant is capable of providing for the
Plaintiff's maintenance and the children's welfare.
6. The Plaintiff requires a monthly sum of Rs. [Amount] for their own maintenance and
an additional Rs. [Amount] per child for their upbringing and education. This amount
is reasonable considering the Defendant's financial capacity and the Plaintiff's
standard of living enjoyed during the marriage.
7. Despite repeated requests, the Defendant has failed and/or refused to provide any
financial support for the Plaintiff and the children.
8. The Defendant is legally obligated to maintain the Plaintiff and the children under
Section 18 of the [Mention the Act under which maintenance is claimed, e.g., Hindu
Marriage Act, 1955].
9. The Plaintiff is entitled to claim maintenance from the Defendant.
10. In the circumstances stated above, the Plaintiff prays for a decree:
o Ordering the Defendant to pay a monthly maintenance sum of Rs. [Amount] to
the Plaintiff for their own sustenance.
o Ordering the Defendant to pay a monthly maintenance sum of Rs. [Amount]
per child for their upbringing and education.
o Awarding the costs of this suit to the Plaintiff.
11. The Plaintiff reserves the right to claim further relief as may be deemed fit in the
interest of justice.
(Date)
Place
(Your Signature)
[Your Name]
Verification
I, the above-named Plaintiff, do hereby verify that the contents of this plaint are true and
correct to the best of my knowledge and belief and no part of it is false or misleading.
(Date)
Place
(Your Signature)
[Your Name]