SUIT FOR DAMAGES BY
SERVANT FOR WRONGFUL DISMISSAL [CD1]
IN THE COURT OF THE....................
Suit No..................... of 19....................
C.
D.................................................................... Plaintiff
versus
C.
F................................................................. Defendant
The abovenamed
plaintiff most respectfully submits as under: —
1. That the plaintiff was appointed as the Office-in-Charge for their
branch office at..................... at a monthly salary of
Rs..................... per month, from ....................
19.................... with an agreement in writing that either party may
resign or terminate the services as the case may be with the prior three months
notice or with offer of three months pay in cash in lieu of the notice.
2. That the defendants have terminated the services of the plaintiff on
.................... 19.................... without giving any notice as
aforesaid or tender of three month’s salary in advance in lieu of notice. The
defendants have also not paid one month’s earned salary for the month
of.................... 19....................
3. That the plaintiff has suffered damage of Rs..................... /-
the one month’s earned pay and
Rs.....................
three month’s salary for notice period, thus total damage being of
Rs...................... The plaintiff gave registered notice for tendering
Rs..................... aforesaid as damages for wrongful termination, on
.................... 19.................... which was received by the
defendants on.................... 19....................
4. That cause of action arose on....................
19.................... when thedefendants terminated wrongfully the services of
the plaintiff and secondly on .................... 19.................... when
the defendants received the notice of the plaintiff, but did not comply the
terms of it.
5. That the suit is valued at Rs..................... the amount of
damages and court fee is paid thereon.
RELIEF CLAIMED:
The plaintiff
claims payment of Rs..................... as damages from the defendant and
interest thereon from the date of filing the suit till payment thereof.
Plaintiff
Through Advocate
I, abovenamed
plaintiff, do hereby verify that the contents of paras ....................
to.................... of the plaint are true to my personal knowledge and
those of paras.................... and.................... thereof are based on
legal advice which I believe to be true.
Verified on
this................. day of.................... 19....................
at....................
Plaintiff
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