SUIT PERMANENT INJUNCTION  [CD1] 

 

IN THE COURT OF CIVIL JUDGE AT ……………………..

 

Civil Suit No.;…………../……………

 

 

Mr/,MRS………………………………………………………………………………………………………Plaintiff 

Versus

 

 

Mr/…MRS…………………………………………………………………………………………………..Defendants  

Suit for Permanent Prohibitory Injunction and Mandatory Injunction restraining the defendant from raising any construction over the suit land comprising in ---------- --------------- No. _____, ---------------- No.

_____________________ measuring ______________- situated at ___________________________ restraining the defendant from causing any construction over the suit land against the Municipal Corporation Act and Bye-Laws and Town & Country Planning Act and Rules and also directing the defendant to remove illegal and unauthorized construction over the suit land owned and possessed by the plaintiff and also directing the demolition of the construction already raised or raised during the tendency of this suit on the set-back area of the suit land owned by the defendant _____and also with the prayer to direct the defendant to handover the peaceful possession of the suit land already encroached upon by the defendant No. 1. 

 

Respectfully Sheweth: 

 

1.  That the plaintiff is owner in possession of land comprising in ------- --------------- No. _____ -------------- No. _____, ------------------ No. _____, ------------------ No. _____ measuring ______ ----------------situated at ________ as per the ------------------ for the year ______. ______The plaintiff has a building raised on the above land duly sanctioned by the appropriate authority. 

 

2.  That the defendant is owner of the land comprised in -------------- --------------- No. ________._____....-

No.      ______     situated      at     _______     as     per     the      -----------------     for     the      year     _______. 

 

3.  That the defendant No. 1 during the month of __ has started raising further construction in as much as without leaving any set-backs as prescribed by the law and further encroached upon the land of the plaintiff by projecting the ---------- towards the land of the plaintiff and thus obstructing light, air and sun to the building of the plaintiff besides causing nuisance to the plaintiff and his tenants, thereby depriving the plaintiff of his Easementry rights of light, air and sun, which rights were being enjoyed by the plaintiff and his predecessor-in-interest from time immemorial peacefully, openly and hostile to the very knowledge of the defendant or other persons living in the vicinity. The said rights of Easementry have now been infringed by the defendant in the month of ______ by raising the construction in haphazard manner in as much as the defendant ______ 

 

4.  That the cause of action accrued to the plaintiff on ______ 

 

5.  That the plaintiff is permanently residing within the jurisdiction of this Hon'ble court and all the correspondence from the defendants were received at his home address and the office of the defendant is located in the territory of this Hon'ble Court, hence this court has each and every jurisdiction to try and entertain             this         suit.            ______ 

 

6.  That the value of the suit for the purposes of jurisdiction has been fixed for Rs. 200/- and for the purposes of declaration and correct and authorized court fee stamp of Rs. ________________ has been affixed on the plaint. 

 

7.  That no suit has been instituted against the defendants on the same or similar cause of action in any other court including High Court and Supreme Court of India. 

 

8.  It is, therefore, most respectfully prayed that a decree for Permanent Prohibitory Injunction and Mandatory Injunction restraining the defendant from raising any construction over the suit land comprising in ---------- ----------------- No. _____, --------------------- No. _____ measuring _____ ----------------- situated in _____ restraining the defendant from causing any construction over the suit land against the Municipal Corporation Act and Bye-Laws and Town & Country Planning Act and Rules and also directing the defendant to remove illegal and unauthorized construction over the suit land owned and possessed by the plaintiff and also directing the demolition of the construction already raised on the set-back area of the suit land owned by the defendant and also with the prayer to direct the defendant to handover the peaceful possession of the suit land already encroached upon by the defendant No. 1, be passed in favour of plaintiff and against the defendants with costs of the suit. Such other 

 

reliefs as deemed fit and proper in the facts and circumstances of the case may also be passed in favour of the plaintiff and against the defendants in the interest of justice. 

 

AND FOR THIS ACT OF KINDNESS, THE HUMBLE PLAINTIFF AS IN DUTY BOUND SHALL EVER PRAY. 

 

……………………………. Plaintiff 

 

______________

 Through, Advocate 

 

Verification: [CD2] 

 

 

I, ______________________________-, do hereby verify that the contents of the above plaint from paras 1 to _______ are true and correct to the best of my knowledge and belief. 

 

Verified at …………… this the _______. 

 

Plaintiff 

 

 

 

 

 

 

IN THE COURT OF CIVIL JUDGE AT ……………..

Civil Suit No;…………../……………..

 

……………………………………………………………………………………..Plaintiff 

Versus

 

 

………………………………………………………………………………………….Defendant 

Affidavit

 

 

I, __________________________, do hereby solemnly affirm and declare as under:- 

 

1.______________________________ That the accompanying plaint has been drafted under my instructions. For the sake of brevity, the contents of plaint are not being reproduced hereunder in this affidavit. However, the contents of the plaint may kindly be read as part and parcel of this affidavit. 

 

2.                   That the contents of paras 1 to ______ of the plaint are correct and true to the best of my knowledge and paras _________ to ________________ are believed to be correct being legal advise given by the counsel. 

 

3.                   That I further solemnly affirm and declare that the contents of this affidavit of mine are correct and true and no part of it is false and nothing material has been concealed therein. 

 

Affirmed here at ………………… this ______. 

 

Deponent 

 

IN THE COURT OF CIVIL JUDGE AT ……………..

 

Application No;…………………../………

 

 

………………………………………………………………………………………….Applicant 

Versus

 

 

…………………………………………………………………………………………….Respondent 

 

Application under order 39 Rule 1 and 2 of the Civil Procedure Code for Permanent Prohibitory

Injunction and Mandatory Injunction restraining the defendant from raising any construction over the suit land comprising in -------------- ------------- No. ________, ----------------- No. __ measuring _______ --------------- situated at _______ restraining the defendant from causing any construction over the suit land against the Municipal Corporation Act and Bye-Laws and Town & Country Planning Act and Rules and also directing the defendant to remove illegal and unauthorized construction over the suit land owned and possessed by the plaintiff and also directing the demolition of the construction already raised on the set-back area of the suit land owned by the defendant and also with the prayer to direct the defendant to handover the peaceful possession of the suit land already encroached upon by the defendant No. 1. 

 

Respectfully Sheweth: 

 

1.                   That the applicant/plaintiff has filed a case before this Hon'ble Court hearing where of will take some time. 

 

2.                   That it is apparent from perusal of grounds and documents attached therewith that the applicant has prima facie a very good case in his favour and the case is likely to succeeds. The balance of convenience is in favour of the applicant. The grounds of the case may be read as part of this application to save the repetition. 

 

3.                   That the interest of justice demands that the respondent is restrained from __. In case the respondents are not restrain that the applicant will suffer irreparable loss and injury which cannot be compensated in terms of money and filing of this case will become infructuous. 

 

4.                   It is therefore most respectfully prayed that the respondents be restrained from _______ in the interest of justice. Such other orders he also passed in favour of the applicant as deemed fit in facts and circumstances of the case. 

 

………………………………. Applicant 

 

_____ …………….., Advocate 

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 

IN THE COURT OF CIVIL JUDGE AT …………………………….

 

Application No: of 

/ 

 

………………….…………………………………………………………………….Applicant 

Versus

 

 

………………………………………………………………………………………..Respondent 

Affidavit in support of application under order 39 Rule 1 and 2 of the Civil Procedure Code.

 

 

I, , do hereby solemnly affirm and declare as under:- 

 

1.  That the accompanying application has been prepared under my instructions. 

 

2.  That the contents of paras 1 to __ are true and correct to the best of my knowledge. 

 

3.  That I further solemnly affirm and declare that the contents of this affidavit of mine are correct and true to the best of my knowledge and no part of it is false and nothing material has been concealed therewith. 

 

Affirmed at ……………………… this ________ 

 

Deponent 

 

 

 

IN THE COURT OF CIVIL JUDGE AT ……………………..

 

 

……………….……………V/s……………………………. 

 

Suit : for Declaration 

 

Name……………………………. 

 Address……………………………………. 

 

 

In the above noted suit every summons, notice & other order may be served on me on the address given above during the pendency of the suit. Change of Address will be intimated to the Court. 

 

Dated : ______ 

 

Sd:- 

 

Plaintiff/ Petitioner 

 

Defendant/ Respondent. 

 

Through, Advocate 

 

Process Fee 

 

 

 

 

IN THE COURT OF CIVIL JUDGE AT …………………………

 

 

________ Versus ________ 

 

Claim : for Declaration 

 

Date of Hearing :________ 

 

Date ________ 

 

By Whom Filed________ 

 

Purpose________ 

 

Amount ________ 

 

Stamp ________ 

 

________ 

 

Plaintiff 

 

For service of defendants 

 

Advocate 

 

_______________________________________________ 

 

Received on ________ Court-fee stamp of the value of Rs. _____ with ______ copies in case

No.;…………./………… in Re. ________ Vs ________ 

 

Signature of the Head Notice Writer 

Under Order 7 Rule 13 [1] C.P.C.

 

 

List of Documents Filed By Plaintiff/Defendant IN THE COURT OF CIVIL JUDGE AT …………………………………

 

……………………………. V/s……………………………………..

 

Date of Hearing: __________ 

 

Suit for : for Permanent Prohibitory Injunction 

 

Date of Production :________ 

 

S.No Details, Date What is If Documents If Rejected 

 

Documents Intended Filed What is Then the 

 

to be the Exh Marked Date of 

 

Proved From on it Return of 

 

Document Documents 

 

Date:……………… 

 

Counsel………………… for Plaintiff/Defendant 

 

List of Documents Relied Upon 

Under Order 7 Rule 14 CPC Filed by :_______

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 

IN THE COURT OF CIVIL JUDGE AT ……………………........................

…………………………………………….V/S………………………………… 

 

Suit : for Permanent Prohibitory Injunction Date of hearing:

 

 

1.  Have you produced any …_______________, as per list. 

 

documents with the plaint 

 

so, what are those document. 

 

2.  Do you wish to produce any more ………………………….., if required. 

 

documents which are in your 

 

possession and custody 

 

if so, what are those documents. 

 

3.  Do you wish to rely upon any ……………….……………, later on 

 

other documents, if so in from the custody 

 

whose possession they are and of the defendants. 

 

what are those documents. 

 

Counsel for 

 

Dated : ______ …………..

 


 [CD1]

SUIT PERMANENT INJUNCTION 

 

 [CD2]Verification: