Suit For Injunction In The Matter Of Copyright

Suggest Format of "Suit For Injunction In The Matter Of Copyright"​

Note: This is a sample format/Draft of Suit against insurance company for Policy of Life Insurance. For the actual drafting and/or customs designed & precise inputs you can touch us for online drafting based upon your inputs. This draft can be downloaded free and modified for contingent and urgent requirement.

 

BEFORE THE HON’BLE JMFC/CITY CIVIL COURT

_____________AT _______________, MUMBAI

Suit no.______ of 20_____

 

Mr. ABC S/o DEF                     )

Aged about ……. Years,           )

Occ: Service/Business             )

R/o ________________         )

Mob: ………………………..            )     

….…………Plaintiff

            Versus

 

Mr. XXX S/o YYY                      )

Aged about ……. Years,           )

Occ: Service/Business             )

R/o ________________         )

Mob: ………………………..            )      

…………Defendants

               

 MAY IT PLEASE YOUR HONOUR;

The Plaintiff abovenamed begs to states as follows;

  1. That the Defendant is a corporation under the Life Insurance Corporation Act, 1956, carrying on the business of life insurance.
  2. That the Plaintiff is the son and heir of late Sri X, S/o………… resident of……………..
  3. That Shri X got his life insurance with the Defendant corporation on……….. for a sum of rs.1,00,000/- (One lakh Only) for which the Defendant issued to Sri X, policy No……………. dated………. Duly signed by the authorized officers of the Defendant Corporation in consideration of a quarterly premium of Rs…………. Payable by the late Sri X to the Defendant covering risk on the life of the said Sri X up to the age of 60 years.
  4. That Sri X died on……. At………. On account of sudden heart attack and was cremated at…………… Ghat in the presence of large number of relatives and friends.\
  5. That after getting the heart attack Sri X was immediately rushed to………………… Hospital, where the attending doctor, namely Dr…………… declared him dead.\
  6. That the Sir X had paid all the premium due to the defendant on the policy aforesaid covering the period upto the date of this death.
  7. That the Plaintiff claimed the amount insured from the defendant and all the requisite forms were duly filled up by the Plaintiff as directed by the Defendant Corporation.
  8. That the defendant was avoiding payment of the amount due under the policy on the pretext or the other and has now finally refused to make the payment on the false ground that Sri X was really not dead and that the whole story of the death and cremation of Sri X was false and fictitious.
  9. That the Plaintiff categorically asserts that Sri X died of a heart attack on…………………. At………………. Hours and was taken to the ………………. Hospital where Dr…………………. declared him dead and was cremated at……………………. Ghat………………. The death certificate issued by the said Dr…………………. is annexed to plaint.
  10. That the Plaintiff, in the circumstances narrated above, is entitled to recover from the Defendant Corporation the entire sum of Rs.1,00,000/- along with all due bonus declared on the policy.
  11. Case of Action.
  12. Valuation and court-fee.

Relief.

 

Plaintiff.

Advocate of the Plaintiff.

V E R I F I C A T I O N

   I, …………………….., of Mumbai, Hindu, Indian Inhabitant, the Petitioner abovenamed, do hereby solemnly declare that what is stated in Paragraphs ..….. to…….. of the fore going petition is true to my own knowledge.

 

 Solemnly declared at Mumbai           )

Dated this       day of               , 20___)

  , 20                                                     )     

Plaintiff

 

Interpreted & Explained by me

 

Advocate for Plaintiff