You are on page 1of 6

IN THE CITY CIVIL COURT, BANGALORE, KARNATAKA

SUIT NO: ______/2024

IN THE MATTER OF:

Mrs Riya Yadav,


#123, TMA Pain Road, Bengaluru,
Karnataka. ..........PLAINT
IFF

VERSUS
Mr Arjun Yadav,
#123, TMA Pain Road, Bengaluru,
Karnataka. ..........DEFENDANT

Plaint for Dissolution of Marriage and Relief Under

MOST RESPECTFULLY SHOWETH:

1. Petitioner got into marriage with the defendant on.11th may 2014 according to Hindu rites and customs

at the residence of Mrs Riya Yadav (Petitioner) at RC Convention Hall, Bengaluru.

2. both the Plaintiff and Defendant belong to Hindu religion and both were in a relationship prior to getting

married.

3. Petitioner and the Defendant thereafter lived and cohabited as husband and wife at the residence of

husband at #123, TMA Pain Road, Bengaluru, Karnataka.

4. The plaintiff and the defendant have two Children from the said marriage named Rahul Yadav ( son )

aged 3 years, and Anita Yadav (daughter) aged 2 years.

5. The defendant although started of well in their marital life, but 3 years later turned Abusive, consistently

subjecting the plaintiff to both mental and physical abuse in an inebriated state.

6. The plaintiff who works at a reputable Multinational Company has a monthly remuneration of Rs

80,000/- where as the defendant after covid affected his business rendering him to earn a monthly

remuneration of Rs 45,000/- which manifested his envy in the form of abuse both physical and mental.
7. The defendant also turned alcoholic and frequently in his state of inebriation feud with the plaintiff,

creating an unsafe and toxic environment for not only the plaintiff but also the kids.

8. The parents of the Defendant who at the start of the marriage were caring and loving after this phase

only added to the Mental torture on my client by constantly demanding more dowry.

9. The Defendant at every attempt at communication and resolution never reciprocated in any productive

manner continuing the abuse and the subjugation of the plaintiff to his whims and fancies which is

making my plaintiff feel tortured.

10. Plaintiff states that since it had become very difficult for the Plaintiff to continue to live with the

Defendant at the matrimonial home.

11. The Plaintiff seeks to get Divorced to the defendant under Section 13 of the Hindu Marriage Act, 1955.

12. Plaintiff states that it is the duty of the Respondent to maintain his child. Plaintiff is entitled for an order

from this Hon’ble Court directing the Respondent to pay interim and permanent maintenance of Rs. Rs

50,000/- per month to the son of the Plaintiff and Defendant Under Section 24 and Section 25 of the

Hindu Marriage Act, 1955.

13. The Plaintiff has never once condoned this behaviour of the Plaintiff and his parents and has

undergone this subjugation only for the sake of stability for her children, but now is seeking the

dissolution of the marriage to put an end to this cycle.

14. There is no suit pending in any Court of India between the Plaintiff (Mrs Riya Yadav) and Defendant (Mr

Arjun Yadav) regarding this marriage.

15. That the cause of action arises on

16. Petitioner submits that this Hon’ble Court has jurisdiction to try and entertain this Petition.

17. There is no delay in filing of this Petition.

18. Petitioner pays the fixed Court fees of Rs. 150/-.

19. Petitioner will rely on the documents a list whereof is annexed herewith.
Plaintiff therefore, Prays :-

(a) that this Hon'ble Court be pleased to pass a decree of divorce dissolving the marriage of the

Plaintiff and the Defendant ;

(b) that this Hon'ble Court be pleased to direct the Respondent to pay permanent maintenance

of Rs. Rs 20,000/- per month to the Children of the Plaintiff and defendant;

(c) that cost of the Petition be provided for

And

that such other and further reliefs as the nature and circumstances of the case may require be

granted.

Advocate for Petitioner. Petitioner.


VERIFICATION

I, Riya Yadav of Bengaluru, Indian Inhabitant, the Plaintiff abovenamed do hereby solemnly

declare that what is stated in the foregoing paragraphs 1 to 19 is true to my knowledge and what is stated in

the rest of the Plaint is on the information and belief and I believe the same to be true.

Solemnly declared at Bengaluru

[aforesaid this the 17th day of March 2024 )

Advocate for the Plaintiff Plaintiff


IN THE CITY CIVIL COURT, BANGALORE, KARNATAKA

SUIT NO: ______/2024

Mrs Riya Yadav,


#123, TMA Pain Road, Bengaluru, Karnataka ………..PLAINTIFF

VERSUS

Mrs Arjun Yadav,


#123, TMA Pain Road, Bengaluru, Karnataka ………..DEFENDANT

AFFIDAVIT OF MRS RIYA YADAV, W/O MR ARJUN YADAV AGED ABOUT 26 YEARS

I, Mrs Riya Yadav, the deponent hereinabove do hereby solemnly affirm and state hereunder:

1. I am an adult citizen of Bengaluru, Karnataka, competent to make this affidavit, and have personal
knowledge of the matters stated herein.
2. The statements made in this affidavit are true and correct to the best of my knowledge, information,
and belief.
3. I say that the accompanying Suit has been drafted and filed by my counsel upon my
instructions and contents of the same are true and correct.
4. I say that the documents filed along with plaint are true copies of originals.

DEPONENT

VERIFICATION:

I, Riya Yadav, do hereby verify on this 17 day of March, 2024 at Delhi that the contents of the
above said affidavit are true and correct to my knowledge and information and nothing
material has been concealed therefrom.
DEPONENT

You might also like