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From:-

XYZ
Advocate
Deoghar Civil Court

To:-
Sri Shailendra Kumar Lal, CEO, Deoghar Municipal Corporation, Near Electricity
Department, Williams Town, PS- Deoghar Town, District- Deoghar, State-
Jharkhand.

Respected Sir,

Pursuant to the instructions from and on behalf of my client namely Arbind Kumar S/O-
Late Mahendra Prasad Roy, R/O- Castairs Town, PS- Deoghar Town, District- Deoghar, State-
Jharkhand, I hereby serve you with the following legal notice and state you as under:-
1) That my said client has an immovable property situated in the District of Deoghar, Sub
division – Deoghar , PS- Deoghar Town within Ward No.- 31 (old ward no. 14) Deoghar
Nagar Nigam Taluque Rohini, Mauza- Shyamganj Castair’s Town, Basouri land part of
Town Plan Plot No.- 717 area about one kattha three dhurs Jamabandi No. 144, single
storey pucca building.
2) That the Holding Number of the aforesaid property pertaining to Deoghar Municipal
Corporation was 251 .
3) That the aforesaid property had been purchased via sale deed no. 3105 dated
6/12/1977 and accordingly registered in the name of Lt. Ram Sewak Ray (then Karta of
the family) as a Joint Family Property under the legal concept of Hindu Undivided
Family (HUF).
4) That since 06/12/1977, my client’s father namely Late Mahendra Prasad Roy who was a
practicing Advocate in Deoghar Civil Court resided in the aforesaid property with his
family till his death on 04/07/2010. Since his death, his sons are residing in the aforesaid
property.
5) That recently my client is acquainted with the fact that one of the coparceners who fall
in the direct descendant line of Lt. Ram Sewak Ray in the Genealogical Table and has
share in the aforesaid property cheatingly with a malafide intention to convert the joint
ownership to sole ownership of the above mentioned property has wrongfully changed
the Holding Number as _____ in the year ______ from the previous Holding Number
251 with the help of employees of Deoghar Municipal Corporation by fraudulently
producing photo copy of Death Certificate of my client’s father namely Late Mahendra
Prasad Roy.
6) That my client strongly opposes the above mentioned act of the coparcener as it has no
legal basis of changing old and original Holding No. 251 to a new and illegal Holding
No.____.
7) That having knowledge of the same, Deoghar Municipal Corporation has erred in the
issuance of a new Holding No.___ to a property already having Holding No. 251.
8) That this is a clear case of cheating, breach of trust, fraud and forgery.
9) That a partition suit (O.S. No. 316 of 2022) pertaining to the aforesaid property is also
under adjudication in the Deoghar Civil Court before the learned Civil Judge (Sr. Div.) I.
10) That my client hereby attach photo copy of Sale Deed of the aforesaid property recognising
the aforesaid property as Joint Family Property and Affidavit before Executive Magistrate
declaring the same alongwith this legal notice.
In these circumstances, I therefore, through this legal notice request
you to cancel and declare null and void the new issued Holding Number ____ and rightly
upheld the original Holding No. 251 pertaining to the aforesaid property and please give
reply to this legal notice within fifteen days of the receipt of this legal notice otherwise my
client shall take recourse of law in the competent court of law.

Thanking you
Note:-
Be it noted that a carbon copy of this pleaders notice has been preserved and kept in my
office for future use and reference.

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