A
WRITTEN STATEMENT OF THE OPPONENT HUSBAND IN A MAINTENANCE APPLICATION [CD1]
IN THE COURT OF THE JUDICIAL MAGISTRATE, FIRST CLASS,
KHED AT RAJGURUNAGAR
Maintenance
Application No. 999/ 2003
Smt.
_________ W ____ . _ Applicant
Versus
Shri __________ H ____ _ Opponent
A WRITTEN STATEMENT ON BEHALF OF THE OPPONENT
The opponent above-named submits this statement, praying to
state as follows:
1.
That the contents of para 1 of the
application are true and correct, and hence admitted by this opponent.
2.
That the contents of para 2of the
application are likewise true and correct, and hence, call for no comments.
3.
That the contents of para 3 of the
application are false, baseless, frivolous, and hence, denied by this opponent,
and this opponent submits that the applicant right from the beginning was in
the habit of staying with her parents, and she practically cohabited with this
opponent hardly for a fortnight or so after the marriage, and since then, she
has always had been residing at her parents' till this date.
4.
That the contents of para 4 of the
application are a sheer piece of fabrication on the part of the applicant, and
this opponent submits that since the applicant, in fact, cohabited with this
opponent only for a few days, the question of begetting a child or making such
wild allegations against the opponent
does not arise, and the so-called medical check-up is a false and imaginary
story.
5.
That the contents of para 5 of the
application are likewise totally false, and while denying the same, this
opponent does hereby reiterate that when the applicant did not cohabit with
this opponent anytime during the existence of their marriage, except and save
those few days in the beginning after the marriage, the alleged illtreatment
could not be meted out to her, and such allegations are far away from any truth
therein and do not hold water at all.
6.
That the contents of para 6 of the
application to the effect that the applicant had tried to go to this opponent
for cohabitation are not only totally false but also misleading, and hence,
denied by this opponent in to and categorically, and the opponent requests this
Hon'ble Court to take this fact into consideration.
7.
That the contents of para 7 of the
application alleging that this opponent has contracted a second marriage with
the so-called staff nurse are vertex on the part of the applicant, and it shows
that the applicant is at a loose end to make such dirty, totally false and
illegal allegations against the opponent, and while denying the same, the
opponent requests this Hon'ble Court to put the applicant to the strict proof
of the same.
8.
That the contents of para 8 of the
application are baseless and denied by this opponent specifically, and what the
applicant says is just perverse and exaggeration, and this opponent says and
submits that he is working as Compounder, and not as a Doctor, at the Sassoon
General Hospitals, Pune, and he is drawing a salary of Rs. 8,000/- per month,
and not Rs. 20,000/- per month.
9.
That the contents of para 9 are also
totally false, baseless, frivolous, and hence, denied by this opponent.
10. That the opponent respectfully submits for the kind and
sympathetic consideration of this Hon'ble Court that the opponent was always
and is still ready and willing to maintain the applicant, and he has never
refused or neglected to maintain her, and there was no cause of action for the
applicant to file the present application.
11. That the opponent, therefore, prays that -
The application of the applicant be
dismissed, and Any other orders in the interest of justice may kindly be passed.
Sd/-
Dated ___ . OPPONENT
Sd/-xXx
ADVOCATE FOR OPPONENT
VERIFICATION
I, Shri H, the present opponent, do hereby state on solemn
affirmation that the contents of this statement in paras 1 to 11 are true and
correct to the best of my knowledge and belief, so I have signed hereunder.
Sd/- H OPPONENT
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