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MODEL FORM No.

77

IN THE COURT OF THE ADDITIONAL


. DISTRICT JUDGE OF ........................... .........
CAVEAT No

...................................of ........

O.S. No

of ............................................ .

Between:.

.Caveator
And

..

..Objectors

***
Caveat filed on behalf of the Caveators ujS. 148A of C.P.c.
1. Caveator I, .................................., WI o .........................., aged
about ................years, Hindu, R/O .............................village and post,
................ mandalam within the jurisdiction of this Hon'ble Court.
The address of the caveators for service of process etc., is as
stated above and also care of their counsels Sri ..................................
and Sri ..........................................Advocates, . ......................
2. Respondent I, ...................................... , W 10 ...........................,
aged about ............years, Hindu, Cultivation, Rio .....................village
and post, ..................mandalam within the jUrlsdiction of this Hon'ble
Court.
The address of the Respondent for service of process etc., is as stated above.
3. The Caveators submit that they have filed a suit in O.S ...........
on the file of 1st Additional District Munsiff of ...............................for
cancellation of sale deed, declaration of title and permanent injunction
against the Respondent's husband ...................................and ......others
and subsequently the Respondent was added as ........defendant as L.R.
of the .......defendant and the said suit was decreed on .........................

against the Respondent and ... others who are the Vendors of the Plaint Schedule Property to the Respondents husband.
4. The Caveators submit that the respondent herein aggrieved by the said decree and judgment of the said Court is making frantic
efforts to file Emergent Appeal, and Petition against the decree and judgment of the lower Court and may obtain Ex parte Interim
Stay or suspension of the true and real facts by moving this Honble court. If such ex parte interim stay is granted the caveators will
be put to much loss and irreparable injury.
5. The copy of this caveat petition is sent by the c;weators to the Respondent by Registered Post with Acknowledgement Due and in
token thereof the postal Receipt is herewith filed.
6. The caveators have paid fixed C.F. of Rs ..................................on this Caveat Petition u/r 295(5) of C.R.P.
7. It is, therefore prayed that tlus Hon'ble Court may be pleased to lodge thIS Caveat and Order prior notice to the Caveators in the
emergent proceedings to be filed by the Respondent like ex parte stay or suspension of the decree and judgment passed in O.S
dated.against the Respondent by the learned 1st Additional District Munsiff of..and also pass such other necessary orders.
Advocate for Caveators

Caveators

Verification

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