SUIT FOR DELIVERY OF MOVABLES WRONGFULLY DETAINED OR FOR COMPENSATION THEREFOR [CD1]
Suit No. ................... of 20........
C.D..................................... Plaintiff
versus
C.F.....................................
Defendant
The
abovenamed plaintiff most respectfully submits as under:
1.
On the ................... day of .................. 19 ................., the
Plaintiff owned (or state facts showing a right to the possession) the goods
mentioned in the Schedule hereto annexed (or describe the goods), the estimated
value of which is .................... rupees.
2.
From that day until the commencement of this suit the defendant has detained
the same from the plaintiff.
3.
Before the commencement of the suit, to wit, on the ................... day
............. 19 ...................., the plaintiff demanded the same from the
defendant, but he refused to deliver them.
4.The
cause of action arose with the jurisdiction of this Court on
..................19 .................... When the defendant detained
wrongfully the movable of the plaintiff, which are detailed in the Schedule
annexed hereto.
5.
The valuation of the suit is Rs. ...................., the approximate price om
goods detained., and court-fee is paid thereon.
The
plaintiff claims Rs. .................... to be paid by the defendant as damages
for the detention of goods aforesaid, or the delivery of the said goods.
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 the of paras
...................and ................... thereof are based on legal advice which
I believe to be true.
Verified on this ................ day
of ................... 20 .................. at ......
Plaintiff
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