Suit For Damages Of Trespass

Suggest Format of "Suit For Damages Of Trespass"​

Note: This is a sample format/Draft of Suit for damages due to Trespass. 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 YOU HONOUR;

The Plaintiff abovenamed begs to states as follows;

  1. That the Plaintiff is the owner in possession of a grove in village ……………….. pargana…………… district………. Recorded as No………… in the revenue records of the Village.
  2. That the Defendant has been, without any right whatsoever, plucking the fruits of the said grove in the absence of the Plaintiff’s watchman and in spite of protests from the Plaintiff continued to do so off and on.
  3. That on ……………… at about……………… p. m. when the Plaintiff was present in the said grove, the Defendant accompanied by five other unknown persons forcibly entered into the said grove and even though the Plaintiff remonstrated against the unlawful conduct of the Defendant, he and his companions continued to remain in the grove for about half an hour, brandishing their lathies and threatening the Plaintiff that they would certainly pluck the fruits of the grove.
  4. That the Defendant has thus committed an act of trespass on the grove of the Plaintiff and is liable to pay a sum of Rs……………. As damages to the Plaintiff.
  5. That the Plaintiff served a notice upon the Defendant by registered post with acknowledgment due on………………. Demanding Rs………. As damages but the defendant has not paid the same. Hence this suit.
  6. That the cause of action arose on……………………. The date of trespass at……………… within the jurisdiction of this Court which got jurisdiction to try the same.
  7. That the valuation f the suit for purposes of Valuation and payment of court-fee is Rs……………………. And Rs………………… has been paid as 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 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