Suit For Damages By Bailer Against Bailee

Suggest Format of "Suit For Damages By Bailer Against Bailee"​

Note: This is a sample format/Draft of Suit for Damages. 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 requirements.

 

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 YOU HONOUR;

The Plaintiff abovenamed begs to states as follows;

  1. That the Plaintiff and the defendant were neighbors having good relations with each other.
  2. That the Plaintiff had to go out on pilgrimage for two months on ……………
  3. That the Plaintiff delivered his typewriter to the defendant for safe custody during his absence.
  4. That on his return from pilgrimage the Plaintiff found that the typewriter had been lying in the open with the result that the whole machinery had got rusted and become unfit for use without extensive repairs.
  5. That the Defendant did not take such care of the typewriter put in his safe custody as a man of ordinary prudence would in similar circumstances take of his own goods of a similar quality and value as a typewriter.
  6. That the Plaintiff had to spend an amount of Rs………….. for getting the typewriter thoroughly repaired so as to render it fit for use.
  7. That the defendant is liable to pay the said amount of Rs…………….. spent by the Plaintiff on the repairs of the typewriter.
  8. That in spite of repeated demands and giving of a registered notice with acknowledgement due dated …………….. served on the Defendant on…………… the Defendant has not paid the said amount to the Plaintiff. Hence this suit.
  9. That the cause of action for the suit arose on or about …….. when the typewriter was damaged at ……………….. within the jurisdiction of this Court which has jurisdiction to try the suit.
  10. That the valuation of the suit for purposes of jurisdiction and court-fee is Rs……………on which ad valorem court-fee of Rs………………… has been paid.

The Plaintiff, therefore, claims the following reliefs:

  • A decree for Rs………….. be passed in favour of the Plaintiff and against the defendant.
  • Costs of the suit be aware to the Plaintiff.
  • Any other relief which this Court might deem just and proper may be awarded to the Plaintiff.

 

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 above named, do hereby solemnly declare that what is stated in Paragraphs ..….. to…….. of the foregoing 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