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IN THE COURT OF Ld. A.C.J.M.

AT BIDHANNAGAR

MISC. CASE NO. /2018

In the matter of

AAKASH RAYCHAWDHURY

S/O AMAL KANTI RAYCHAWDHURY

Residing at 24,827 Jessore road


(New), Green Park, Block- A, P.S-
Laketown, Kolkata- 700055

…Petitioner/Complainant.

-VS-

The State of West Bengal

…Opposite party.

The Most Respectfully Shweth :

1. That your petitioner is the bonafide and law abiding citizen of India.

2. That your petitioner is the actual and bonafide owner of the vehicle vide
no. WB-08A-6879 and which is ECO SPORTS ( Black Colour) and same
is registered in the name of the petitioner above named.

3. That on 19.06.2018 the said car was parked on temporary basis in front
of the Restaurant, since 2016 which is situated of the opposite to city
centre saltlake.

4. That the vehicle was parked in front of the restaurant at around 9 A.M
on 06-02-2018. Suddenly some police persons came to the spot and take
away the car without any intimation. It is pertinent to mentioned to
maintain in this context that the driver of the vehicle and other staffs of
the restaurant were present at the meantime and they disclosed their
designations and the police person didn’t provide any seizure list of the
petitioner above named .
5. That subsequently it is enquired by the petitioner (Annexed Herewith
some photo Copies) that the car is parked in front of the Bidhannagar
North Police Station with both the door locks and which are stucked by
the traffic police with help some iron made blocker.

6. That your petitioner tried to return back the seized vehicle along with
proper documents of ownership but the police authority didn’t help it
out to return back the said vehicle which is seized by the Bidhannagar
Police Station without any seizure list.

7. That the original copies of the ownership are kept in the vehicle which is
seized by the Traffic Police of Bidhannagar under North Police station.

8. That your petitioner already filed one writ petition against the police
authority under overt act and since then the articles of the police
authority has mounted to zenith.

9. That your petitioner filed a Misc. case Before the Ld. Executive
Magistrate at Bidhannnagar, Vide No. 111/2018( Aakash Raychawdhury
–VS- State of WestBengal) land the photo copies of the order sheet which
is annexed herewith.

10. That your petitioner craves leave to agitate further facts and law
points at the time of hearing.

Hence it is prayed that your


Honour would graciously be pleased
to enquire the fact and /or direct
the Bidhanngar Police
Commissionerate to release the
vehicle with proper ownership as
your Honour may deem fit and
proper for the ends of justice.

And for this act of kindness as your petitioner as in duty bound and shall ever
pray
AFFIDAVIT

I, AAKASH RAYCHAWDHURY, S/O Amal Kanti Raychawdhury, aged about-__


years, by faith- Hindu, of 24,827 Jessore road (New), Green Park, Block- A,
P.S- Lake town, Kolkata- 700055, do hereby declare-

1. That I am the bonafide citizen of India and the petitioner/Complainant of


this instant application.
2. That I am well conversant with the facts and figures of the instant
application.
3. That all the statement in the application is true to the best of my
knowledge and belief.

All the foregoing statements are true to the best of my knowledge and
belief.

____________________________

DEPONENT

Identified by me

ADVOCATE

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