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Respected Sir,
With reference to the above stated subject, we hereby submit as under:
1. My Client, Mr. Karan Mehta, residing at 212, Fly Lane, Civil Lines, Nagpur.
2. That the residential property of Mr. Karan Mehta was attempted to be illegally removed
by NMC officials.
3. That prior to the attempt of the illegal removal, the Nagpur Municipal Corporation office
failed to serve any notice of encroachment.
4. That in case of NMC’s failure to comply with the request for temporary injunction, we
shall approach the District Court of Nagpur.
Prayer:
It is, therefore most respectfully prayed that the Nagpur Municipal Corporation:-
a. Comply with the request for temporary injunction.
b. Explain the reason for removal of property.
c. Serve notice before any further attempts of encroachment of Mr. Mehta’s property.