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IN THE COURT OF THE CHIEF JUDCIAL MAGISTRATE

AT PORT BLAIR.

G.R. Case NO. 2290 of 2018

THE STATE …….Complainant

-Versus –
flat.
BIKASH LALL ….. Accused/Petitioner

BAIL APPLICATION ON BEHALF OF THE ACCUSED-PETITIONER

The humble petition of the accused-petitioner above named most respectfully


SHEWETH:-

1. The petitioner has been arraigned as an accused in the above case on


the allegation that he committed an offence under section 419 and 420
of I.P.C.

2. That the Accused Person was produced before this Hon’ble Court on
Transit Remand on 23.10.2018 and the Hon’ble Court was pleased to
send the Accused Person to Judicial Custody.

3. The Accused person is having his family and children and also old
aged persons and he is the Only earning member of the fmily.

4. The Accused person is the Permanent resident of Dipopara, Durga


Mandir, North Assansoul, Bardban, West Bengal there is no chance of
his absconding and/or evading the trial of the aforesaid case.

5. That the Accused person is abiding the terms and conditions imposed
by this Hon’ble Court while granting Bail and also the accused will not
misuse the liberty of the Bail by any means.

6. That no prejudice will be cause to the prosecution if your Honour


may kindly grant the accused person on bail.

In the circumstances, the


petitioner humbly prays that
Your Honour would graciously
be pleased to Grant bail on any
condition, as Your Honour may
deem fit and proper. In the
Interest of Justice.
AND SHALL EVER PRAY.

Port Blair

Dated: - 05.112021/2/08 (Signature of the Counsel)

IN THE COURT OF THE JUDCIAL MAGISTRATE FIRST CLASS-II


AT PORT BLAIR.
***

FIR No.

G.R. Case NO. ____ of 2005

THE STATE …….COMPLAINANT

- Versus –

GOPAL RAO
Son of Shri. G. Krishna Rao
R/o. Bambooflat.
….. ACCUSED/PETITIONER

BAIL APPLICATION ON BEHALF OF THE ACCUSED-PETITIONER


UNDER SEC. 436 Cr.P.C

The humble petition of the accused-petitioner above named most respectfully


SHEWETH:-

1. The petitioner-accused has been arraigned as an accused in the above


case on the allegation that he committed an offence under section
279/338 of I.P.C on 17.04.2020

2. The petitioner submits that the complaint lodged with the Police is a
bundle of lies and he has been falsely implicated in the above case.

3. The petitioner is having his family and children and his wife working
as Lab Assistant at GB Panth medical (she is on duty to fight with
Covid-19 along with medical staff) he is the only person to look after
the children at this pandemic situation in the Island.

4. The petitioner permanently resides at the address given here in above


and there is no chance of his absconding and/or evading the trial of the
aforesaid case.

5. The petitioner undertakes to abide by the terms and conditions that


may be imposed by this Hon’ble Court and shall not in any way
misuse the liberty if restored on this application.

6. The petitioner submits that no bail application is pending for disposal


in the above case in any Court of Law as on date.

In the circumstances, the


petitioner humbly prays that
Your Honour would graciously
be pleased to direct the release of
the petitioner on bail on any
condition, as Your Honour may
deem fit and proper. In the
Interest of Justice.
AND SHALL EVER PRAY.

(Signature of the Petitioner)


Port Blair

Dated: - 22/2/08 (Signature of the Counsel)


IN THE COURT OF THE CHIEF JUDCIAL MAGISTRATE
AT PORT BLAIR.
***
FIR No. 28 Of 2005.
G.R. Case NO. ____ of 2005

THE STATE …….COMPLAINANT


- Versus –
KARNAN
Son of Late Muthukamakchi
R/o. Vivekanandapuram,
22 K.M Hutbay

NATHAN
Son of Late Panchavarnam
R/o. Vivekanandapuram,
22 K.M Hutbay ….. ACCUSED/PETITIONERS

BAIL APPLICATION ON BEHALF OF THE ACCUSED-PETITIONERS


UNDER SEC. 437 Cr.P.C

The humble petition of the accused-petitioners above named most respectfully


SHEWETH:-

1. The petitioners-accused have been arraigned as an accused in the


above case on the allegation that they committed an offence under
section 324/324/34 of I.P.C on 26.03.2005.
2. The petitioners submits that the complaint lodged with the Police is a
bundle of lies and he has been falsely implicated in the above case.
3. The petitioners are having there family at Hutbay and they are the only
earning person to lookafter them.
4. The petitioners permanently residing at the address given here in
above and there is no chance of there abscondance and/or evading the
trial of the case in as much as the abscondance will pose a serious
threat to the day today sustenance of the petitioner’s family.
5. The petitioners undertakes to abide by the terms and conditions that
may be imposed by this Hon’ble Court and shall not in any way
misuse the liberty if restored on this application.
6. The petitioners submits that no bail application is pending for disposal
in the above case in any Court of Law as on date.

In the circumstances, the


petitioners humbly prays that
Your Honour would graciously
be pleased to direct the release of
the petitioners on bail on any
condition, as Your Honour may
deem fit and proper in the
interest of justice.

AND SHALL EVER PRAY.

(Signature of the Petitioners)


Port Blair

Dated:- 08.04.2005 (Signature of the Counsel)

IN THE COURT OF THE CHIEF JUDCIAL MAGISTRATE


AT PORT BLAIR.
***

G.R. Case No. ____ of 2006

THE STATE …….COMPLAINANT

- Versus –

….. ACCUSED/PETITIONER

BAIL APPLICATION ON BEHALF OF THE ACCUSED-PETITIONER


UNDER SEC. 437 Cr.P.C

The humble petition of the accused-petitioner above named most respectfully


SHEWETH:-

1. The petitioner-accused has been arraigned as an accused in the above


case on the allegation that he committed an offence under section
_________________of

2. The petitioner submits that the complaint lodged with the Police is a
bundle of lies and he has been falsely implicated in the above case.

3. The petitioner is having his family at Hopetown and he is the only


earning person to lookafter them.

4. The petitioner permanently resides at the address given here in above


and there is no chance of his abscondance and/or evading the trial of
the case in as much as the abscondance will pose a serious threat to the
day today sustenance of the petitioner’s family.

5. The petitioner undertakes to abide by the terms and conditions that


may be imposed by this Hon’ble Court and shall not in any way
misuse the liberty if restored on this application.

6. The petitioner submits that no bail application is pending for disposal


in the above case in any Court of Law as on date.

In the circumstances, the


petitioner humbly prays that
Your Honour would graciously
be pleased to direct the release of
the petitioner on bail on any
condition, as Your Honour may
deem fit and proper in the
interest of justice.

AND SHALL EVER PRAY.

(Signature of the Petitioner)


Port Blair

Dated:- 13.02.2006 (Signature of the Counsel)

IN THE COURT OF THE CHIEF JUDCIAL MAGISTRATE


AT PORT BLAIR.
***

G.R. Case NO. ____ of 2006

THE STATE …….COMPLAINANT

- Versus –

….. ACCUSED/PETITIONER

AN APPLICATION PLEADING GUILTY BY THE ACCUSED PERSON

The humble petition of the accused-petitioner above named most respectfully


SHEWETH:-

1. The petitioner-accused has been arraigned as an accused in the above


case on the allegation that he committed an offence under section
_____________of

2. The petitioner accused pleads guilty in the aforesaid case.

3. The petitioner is having his family at Hopetown and he is the only


earning person to lookafter them.

4. That since the petitioner accused pleads guilty and appropriate order
may be passed.

In the circumstances, the


petitioner humbly prays that
Your Honour would graciously
be pleased to pass appropriate
order since the petitioner accused
pleads guilty in the aforesaid
case.

AND SHALL EVER PRAY.

(Signature of the Petitioner)


Port Blair

Dated:- 13.02.2006 (Signature of the Counsel)

IN THE COURT OF JUDICIAL MAGISTRATE (FIRST CLASS-I)


AT PORT BLAIR.
***
C.R. Case NO. 103/75 of 2006

B. Chandru …….COMPLAINANT

- Versus –
-
P. Naveen
M/s. Web Space, Browsing Café
Opp. Professional Courier
Phoniex Bay
Port Blair. ….. ACCUSED/PETITIONER

BAIL APPLICATION ON BEHALF OF THE ACCUSED-PETITIONER

The humble petition of the accused-petitioner above named most respectfully


SHEWETH:-

1. The petitioner-accused has been arraigned as an accused in the above


case on the allegation that he committed an offence under section 138
of N.I. Act.

2. The petitioner permanently residing at the address given here in above


and there is no chance of his abscondance and/or evading the trial of
the case in as much as the abscondance will pose a serious threat to the
day today sustenance of the petitioner.

3. The petitioners undertakes to abide by the terms and conditions that


may be imposed by this Hon’ble Court and shall not in any way
misuse the liberty if restored on this application.

4. The petitioners submits that no bail application is pending for disposal


in the above case in any Court of Law as on date.

In the circumstances, the


petitioner humbly prays that
Your Honour would graciously
be pleased to direct the release of
the petitioner on bail on any
condition, as Your Honour may
deem fit and proper in the
interest of justice.

AND SHALL EVER PRAY.

(Signature of the Accused/ Petitioner)


Port Blair
Dated:- 20.02.2006

(Counsel for the Accused/ Petitioner)

IN THE COURT OF JUDICIAL MAGISTRATE (FIRST CLASS-I)


AT PORT BLAIR.
***

C.R. Case No. 03/117 of 2006

Eswaramma …….COMPLAINANT
- Versus –
-
Pritivi Ram
S/o. Baghat Ram,
R/o. Garacharama
Port Blair. ….. ACCUSED/PETITIONER

BAIL APPLICATION ON BEHALF OF THE ACCUSED-PETITIONER

The humble petition of the accused-petitioner above named most respectfully


SHEWETH:-

1. The petitioner-accused has been arraigned as an accused in the above


case on the allegation that he committed an offence under section 138
of N.I. Act.

2. The petitioner permanently residing at the address given here in above


and there is no chance of his abscondance and/or evading the trial of
the case in as much as the abscondance will pose a serious threat to the
day today sustenance of the petitioner.

3. The petitioners undertakes to abide by the terms and conditions that


may be imposed by this Hon’ble Court and shall not in any way
misuse the liberty if restored on this application.

4. The petitioners submits that no bail application is pending for disposal


in the above case in any Court of Law as on date.

In the circumstances, the


petitioner humbly prays that
Your Honour would graciously
be pleased to direct the release of
the petitioner on bail on any
condition, as Your Honour may
deem fit and proper in the
interest of justice.

AND SHALL EVER PRAY.

(Signature of the Accused/ Petitioner)


Port Blair
Dated:- 13.04.2006

(Counsel for the Accused/ Petitioner)

IN THE COURT OF THE CHIEF JUDCIAL MAGISTRATE


AT PORT BLAIR.
***
FIR No. 28 Of 2005.
G.R. Case NO. ____ of 2005

THE STATE …….COMPLAINANT


- Versus –
KARNAN
Son of Late Muthukamakchi
R/o. Vivekanandapuram,
22 K.M Hutbay

NATHAN
Son of Late Panchavarnam
R/o. Vivekanandapuram,
22 K.M Hutbay ….. ACCUSED/PETITIONERS

BAIL APPLICATION ON BEHALF OF THE ACCUSED-PETITIONERS


UNDER SEC. 437 Cr.P.

IN THE COURT OF JUDICIAL MAGISTRATE (FIRST CLASS-I)


AT PORT BLAIR.
***

C.R. Case No. 03/117 of 2006

S.K. Singh …….COMPLAINANT

- Versus –
-
Pritivi Ram ….. ACCUSED/PETITIONER
BAIL APPLICATION ON BEHALF OF THE ACCUSED-PETITIONER

The humble petition of the accused-petitioner above named most respectfully


SHEWETH:-

1. The petitioner-accused has been arraigned as an accused in the above


case on the allegation that he committed an offence under section 138
of N.I. Act.

2. The petitioner permanently residing at the address given here in above


and there is no chance of his abscondance and/or evading the trial of
the case in as much as the abscondance will pose a serious threat to the
day today sustenance of the petitioner.

3. The petitioners undertakes to abide by the terms and conditions that


may be imposed by this Hon’ble Court and shall not in any way
misuse the liberty if restored on this application.

4. The petitioners submits that no bail application is pending for disposal


in the above case in any Court of Law as on date.

In the circumstances, the


petitioner humbly prays that
Your Honour would graciously
be pleased to direct the release of
the petitioner on bail on any
condition, as Your Honour may
deem fit and proper in the
interest of justice.

AND SHALL EVER PRAY.

(Signature of the Accused/ Petitioner)


Port Blair
Dated:- 14.06.2006

IN THE COURT OF JUDICIAL MAGISTRATE (FIRST CLASS-I)


AT PORT BLAIR.
***

C.R. Case No. 78 of 2006

M. Babu ….COMPLAINANT

- Versus –
-
R. Subramaniam ….. PETITIONER/ACCUSED
BAIL APPLICATION ON BEHALF OF THE PETITIONER-ACCUSED

The humble petition of the Petitioner-accused above named most respectfully


SHEWETH:-

1. The Petitioner-Accused has been arraigned as an accused in the above


case on the allegation that he committed an offence under section 138
of N.I. Act.

2. The petitioner permanently residing at the address given here in above


and there is no chance of his abscondance and/or evading the trial of
the case in as much as the abscondance will pose a serious threat to the
day today sustenance of the petitioner.

3. The petitioners undertakes to abide by the terms and conditions that


may be imposed by this Hon’ble Court and shall not in any way
misuse the liberty if restored on this application.

4. The petitioners submits that no bail application is pending for disposal


in the above case in any Court of Law as on date.

In the circumstances, the


petitioner humbly prays that
Your Honour would graciously
be pleased to direct the release of
the petitioner on bail on any
condition, as Your Honour may
deem fit and proper in the
interest of justice.

AND SHALL EVER PRAY.

(Signature of the Petitioner/Accused)


Port Blair
Dated:- 12.09.2006

IN THE COURT OF THE CHIEF JUDCIAL MAGISTRATE


AT PORT BLAIR.
***
G.R. Case No. ____ of 2006

THE STATE …….COMPLAINANT

- Versus –

1. Pankaj Roy
S/o. Late K.N Roy
R/o. Bathubasthi,

2. Smti Madhun Roy


W/o. Pankaj Roy,
R/o. Bathubasthi. ….. ACCUSED/PETITIONERS

BAIL APPLICATION ON BEHALF OF THE ACCUSED-PETITIONER


UNDER SEC. 437 Cr.P.C

The humble petition of the accused-petitioners above named most respectfully


SHEWETH:-

1. The petitioners-accused have been arraigned as accused in the above


case on the allegation that he committed an offence under section
354 and 448 of I.P.C.

2. The petitioners submit that the complaint lodged with the Police is a
bundle of lies and they have been falsely implicated in the above case.

3. The petitioners are having their family at the address given in the
cause title.

4. The petitioners are permanently residing at the address given here in


above and there is no chance of their abscondance and/or evading the
trial of the case in as much as the abscondance will pose a serious
threat to the day today sustenance of the petitioner’s family.

5. The petitioners undertakes to abide by the terms and conditions that


may be imposed by this Hon’ble Court and shall not in any way
misuse the liberty if restored on this application.

6. The petitioners submits that no bail application is pending for disposal


in the above case in any Court of Law as on date.

In the circumstances, the


petitioners humbly prays that
Your Honour would graciously
be pleased to enlarge the
petitioners on bail on any
condition, as Your Honour may
deem fit and proper in the
interest of justice.

AND SHALL EVER PRAY.

(Signature of the Petitioners)


Port Blair

Dated:- 28.12.2006 (Signature of the Counsel)

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