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IN THE COURT OF MS.

HIMANI GILL, JUDICIAL MAGISTRATE,


FIRST CLASS, GURUGRAM.

Execution No…………………of 2023.

………………………………………………………………………………………
………………………………………………………………………………………
……………………………………………….
……………Petitioner/D. Holder/Applicant.

VERSUS.

………………………………………………………………………………………
………………………………………………………………………………………
…………………………………………………..
……………Respondent/J. Debtor.

EXECUTION PETITION.

Sir,

The Petitioner/decree holder do hereby apply for the execution

of decree set henceforth:

1 No. of petition
2 Name of parties :As mentioned in the title.

3 Date of Decision :

4 Whether any revision/ :Yes. Appeal is pending


appeal has been filed?
before the Ld. Appellate

Court but there is no stay of

any kind.

5 Whether any previous : Petition u/s 125 Cr.P.C.


application has been
has been allowed vide order
Filed?
dated .

6 Interim maintenance : The respondent to pay

allowance Rs.5,000/- per month as

rent for residential

accommodation to the

complainant.

The respondent is also

directed to pay Rs.2,000/-

per month each to the


petitioner and her son

……………………………in

addition to the relief granted

vide order dated

………………………... It is

submitted that in order

dated ………………………, a

monthly maintenance of

Rs.3,000/- each was

passed. Thus, now the

amount of maintenance

amount is Rs.5,000/- each

per month as maintenance

allowance.

Further the respondent

was also directed to pay

Rs…………………./- to the

petitioner as litigation and

other expenses.
7 The amount with the :The allowance as order
Interest, if any, due upon dated ………………… comes
the decree of other relief to
granted by together with Rs…………………………../-
particulars if any cross (Rs………………./- as
decree whether passed litigation and other
before or after date Of expenses plus
decree sought to be Rs……………………………./-
executed. as rent of accommodation
from …………………… to
…………………….. plus
Rs………………………./- as
maintenance of complainant
and her son from
……………………….. to
………………….) and future
allowances, is due.

8 Cost, if any. : As per record

9 The name of person : J.D./Respondent.


against whom decree
sought.
10 Mode in which : For recovery of amount
Assistance of the court is mentioned above i.e
Required. Rs……………………………./-
or by attachment of sale of
the immoveable/moveable
property Of J.D. and by
putting the J.D. under
prison till the payment of
the entire amount or as per
law.

Sir,

The petitioner/decree holder respectfully submit as under:-

1. That the DH/petitioner many times requested the

JD/respondent to pay the allowance as per order dated

………………………. but the respondent/JD did not pay the above

said amount of maintenance, hence, this petition.

It is, therefore, prayed that execution petition may kindly be

allowed and the above said amount of Rs…………………………../-


may kindly be recovered from the respondent by attachment his

moveable/immoveable property or by putting him in civil prison

and same may kindly be disbursed to the petitioners/decree

holders, in the interest of Justice.

Or any other relief, which this Hon’ble Court deems fit and

proper, may also be awarded.

VERIFICATION. PETITIONER/DECREE

HOLDER.
Verified that contents of
the execution are true and
correct to my knowledge and
belief.
Verified .
Dated:

Through Counsel
IN THE COURT OF MS HIMANI GILL, JUDICIAL MAGISTRATE,
FIRST CLASS,

VERSUS.

EXECUTION PETITION.

AFFIDAVIT

I, ……………………. wife of Sh. ………………………….. and daughter


of Sh. ……………………., resident of village
………………………………………………, at present resident of c/o
………………………….. son of …………………….., resident of House
No……………………………………………………………………………………
………………………………., do hereby solemnly affirm and declare as
Under:-
1. That I am fully conversant with the contents of the Execution
Petition which are true and correct to the best of my knowledge and
nothing has concealed therein, contents of which may kindly be
read as a part of this Affidavit.

DEPONENT.

VERIFICATION
Verified that all the contents of the Affidavit are true and
correct to my Knowledge and belief.
Verified at

Dated. DEPONENT

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