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INTERNAL ASSESSMENT

SUBJECT: DRAFTING. PLEADING & CONVEYANCING -1

SUBMITTED TO

ANJUMAN-I-ISLAM’S
BARRISTER A.R. ANTULAY COLLEGE OF LAW

UNDER THE GUIDANCE OF


PROF. ADV. LALIT PAGARE

SIGNATURE: ______________

SUBMITTED BY
MS. SANGEETA JYOTI DAS

F.Y.LLB – 2nd SEM


DIV- ‘A’
ROLL NO.18

April -2024
TABLE OF CONTENT
S.N. TOPICS PG.NOS.

1. Write an Application to BMC to solve the shortage of water 03-05


supply in your society
2. Draft an Affidavit for change of Name 06-07
3. Draft a Notice on the Domestic Violence Act, Adjournment 07-21
application, Vakalatnama and Domestic Violence Act- Notice
Application
4. Draft a letter of Attornment- Situation – You have sold your 22-23
house which is given on rent to Mr, Sameer Shinde address as
H3-502, Sunder Apt. Pratiksha Nagar, Sion East, Mumbai -22 to
Mr. Haripal Singh residence of Room No. 702, S.M. Road Dadar
West, Mumbai
5. Draft a Sale Deed 24-27

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TOPIC -1
WRITE AN APPLICATION TO BMC TO SOLVE THE SHORTAGE OF WATER SUPPLY IN
YOUR SOCIETY:

[ Name]

[Address]

[City, State,]

[ Zip Code]

[Your Email Address]

[Your Phone Number]

[Date]

The Commissioner Brihanmumbai Municipal Corporation (BMC)

[Address of BMC Office]

[City]

[State]

[ Zip Code]

Subject: Application for Urgent Resolution of Water Shortage Issue in Our Society

Dear Sir/Madam,

I am writing to bring to your attention a pressing issue that has been significantly affecting the
residents of [Your Society Name] in [Location], Mumbai. This issue pertains to the acute shortage
of water supply that we have been experiencing for the past several months, adversely impacting the
daily lives of the residents, causing inconvenience, and posing serious challenges to our well-being.

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As a resident of [Your Society Name], I have observed firsthand the escalating severity of the water
shortage problem. Despite our continuous efforts to conserve water and use it judiciously, the
available water supply has been consistently inadequate to meet the basic needs of the residents.
This situation has led to various hardships, including:

1. Insufficient water for daily household activities such as cooking, cleaning, and bathing.

2. Difficulty in maintaining personal hygiene and sanitation standards.

3. Disruption of regular routines and schedules due to the uncertainty of water availability.

4. Increased reliance on expensive alternative water sources, putting financial strain on many
families.

5. Negative impact on the overall quality of life and well-being of the residents, particularly
vulnerable groups such as children, the elderly, and individuals with health concerns.

The gravity of the water shortage issue has become even more pronounced during the summer
months when water demand typically escalates, exacerbating the existing challenges faced by the
residents. Despite repeated attempts to address the problem through local community initiatives and
discussions with relevant authorities, the situation remains unresolved, causing frustration and
disillusionment among the residents.

Given the urgency and magnitude of the water shortage crisis in our society, we earnestly request
the intervention of the Brihanmumbai Municipal Corporation (BMC) to urgently address this issue
and implement effective measures to alleviate the water scarcity situation. Specifically, we urge the
BMC to consider the following actions:

1. Conduct a thorough assessment of the water supply infrastructure in our area to identify any
deficiencies or issues contributing to the shortage.

2. Implement immediate short-term measures to augment the existing water supply, such as
deploying water tankers or installing temporary storage facilities.

3. Initiate long-term solutions to address the root causes of the water shortage, including
infrastructure upgrades, maintenance works, and sustainable water management practices.

4. Enhance community engagement and awareness programs to promote water conservation


and efficient usage practices among residents.

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5. Ensure transparent communication and regular updates regarding the progress and status of
efforts to resolve the water shortage issue.

We firmly believe that with the proactive intervention and support of the BMC, we can overcome
the challenges posed by the water shortage and restore a reliable and sustainable water supply
system for the residents of our society. Timely action on your part will not only alleviate the
immediate hardships faced by the residents but also contribute to enhancing the overall quality of
life and well-being in our community.

In conclusion, I would like to express our sincere gratitude for considering our concerns and taking
prompt action to address the water shortage issue in our society. We remain hopeful that together,
we can find viable solutions and ensure a better future for all residents.

Thank you for your attention to this matter.

Yours sincerely,

[Your Name]

[Your Designation/Resident of]

[Your Society Name]]

Thanking You

Yours Faithfully
For Raj Estate Co. Operative Housing Society

AUTHORISED SIGNATORY

XXXXXXXXXXXX

Designation: Secretary

[Enclosures: (if any documents are attached)]

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2. TOPIC
DRAFT AN AFFIDAVIT FOR CHANGE OF NAME:

AFFIDAVIT FOR CHANGE OF NAME/DEED POLL / SWORN AFFIDAVIT

By this deed I, the undersigned _____________________________________ (new name),

now lately called ________________________________________________ (old name), doing.

__________________________________(give profession or vocation and of


resident__________________________________________________________________(address)

do hereby solemnly declare: -

I Mr. ………………………. S/o ………………………………… aged about ____________ yrs.,


resided at………………………………. Do hereby solemnly affirm and sate a follow:

1. That my recorded name in school and college is ______________(YOURNAME), but I myself


popularly known as _________________(New name).

2. That by virtue of this affidavit, I changed my name from ______________________________


(old name) to _______________________________________________ (new name) and
henceforth I shall be known as the ____________________________CHOSENNAME (new name)
for all purposes.

3. That for the purpose of evidencing such my determination declare that I shall at all times
hereafter in all records, deeds and writings and in all proceedings, dealings and transactions, private
as well as upon all occasions whatsoever, use and sign the name
__________________________________________ in place and in substitution of my former
name/surname.

4.That I expressly authorize and request all persons in general, relatives and friends in particular at
all times hereafter to designate and address me, my wife, my children, remitter issue by such
assumed name / surname of ________________________________________________

accordingly.

4. That the facts stated above are true to the best of my knowledge and belief.

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5. In witness whereof I have hereunto subscribed my former and adopted name/surname of
_________________________send affix my signature and seal, if any, this day of __________

Signed sealed and delivered by the above name.

Place______________________
Date_______________________

Signed, sealed and delivered by the above named.


_________________________________formerly

_________________________________

In the presence of

1. Name:______________________ 2. Name: _____________________________


Address: ______________________ Address: _____________________________
_______________________ ________________________
______________________ _________________________
________________________ ________________________

VERIFICATION

I the above-named deponent do hereby verify the contents of this affidavit are true and correct to the
best my knowledge and belief.

Notary Public/Authorized Officer [Notary Public Seal]

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3. TOPIC –
DRAFT A NOTICE ON THE DOMESTIC VIOLENCE ACT,
ADJOURNMENT APPLICATION,
VAKALATNAMA & DOMESTIC VIOLENCE ACT- NOTICE APPLICATION

DRAFT A NOTICE ON THE DOMESTIC VIOLENCE ACT

IN THE MATTER OF

1. ______________________________
W/O SHRI_____________________
D/O __________________________
R/O __________________________

_______________________________ COMPLAINNANT/ PETITIONER

VERSUS

1. SHRI ______________________________
S/O________________________________
R/O________________________________
2. SHRI _______________________________

…………. ACCUSED/RESPONDENT P.S.

APPLICATION UNDER SECTION 12 OF THE PROTECTION OF WOMEN FROM


DOMESTIC VIOLENCE ACT 2005 (43 OF 2005)

MOST RESPECTFULLY SHOWETH:

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1. That the present application is being filed by the Complainant herein under Sections
12, 18 (d), (e) and (f), 19 (f), 20(i) b) and (d), 22 and 23 of the Protection of Women
from Domestic Violence Act, 2005.

2. The numerous incidents of physical abuse, verbal abuse, emotional abuse, economic
abuse committed by the Respondent on the Complainant are as described hereunder:

a) Marriage was solemnized between the Complainant and the Respondent No. 1 on
___________ at _____________________ according to Hindu Rites and ceremonies.
Ever since, i.e. for the last ___ years, the Complainant has been suffering physical and
mental abuse, pain, helplessness, unhappiness and anger on account of the Respondent
No. 1 and his family. Eventually, being unable to bear with the trauma and agony, the
Complainant fearing for her life, being destitute without any money and stridhan has
been constrained to file the present complaint.

b) The Complainant had an arranged marriage with the Respondent No. 1. The parties
come from very different backgrounds. The Complainant belongs to a closely knit
family with a lot of family values and culture. On the other hand, the Respondent No.
1 belongs to a business family which is driven only by money and materialistic gains.

c) The Complainant and her parents at the time of marriage were made to believe that
the Respondents were a very well to do family. Believing the Respondent No.1’s
family, marriage was arranged between the parties. A lavish wedding was held at
________________ by the Complainant’s parents and all the demands of the
Respondent No.1’s family as regards jewellery, household items, and other items for
them as well as the relatives of the Respondent No.1 were met by the Complainant’s
parents. However, the mother-in-law of the Complainant was not happy with the
jewellery, household items, and other items and would constantly taunt and insult her
and her parents for not getting the jewellery, household items, and items as per their
standards and name in the society. The Complainant communicated her inhibitions
about the Respondent’s family and in particular his mother to the Respondent No.1.
However, the Respondent No.1 never assured the Complainant that he would try to
speak to his mother or reconcile the differences between the Complainant and his
mother.

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d) Soon after the marriage the Complainant realized that the Respondent No.1 was
very aggressive, angry and wanted to control the Complainant in every respect. The
Complainant was not given any space or freedom to do anything in the house and was
specifically told that she can’t do a job, which the Complainant found very difficult to
deal with but owing to the values given to her by her parents, she always made every
effort to deal with the miserable situation and keep quiet for the peace of mind of her
parents.

e) The Complainant having no choice gave herself totally to the Respondent No.1
and his family and moulded herself according to their ways, which was very
different from her side of the family. e) After the first year of marriage itself, the
Respondent No.2, mother-in-law forced the Complainant to do all the household
work without any support from her mother-in-law. It would be pertinent to point
out that Respondent No.1 was doing extremely well and was earning well. He was
running a business, but he was always reluctant to provide any financial support to
the Complainant despite being financially very well off.

f) The Complainant lived in a joint family. The Complainant’s in-laws made the
Complainant do the entire household work. Respondent No. 1 and 2 made her
____________________________. The Complainant was forced to work even at
the time of her pregnancy and the Respondent No.1 never bothered to care about
the health or the state of the Complainant. He spent no time with her. The nine
months were lonely and sorrowful. So much so that when the Complainant
delivered her son _____, her mother-in-law was not happy as she wanted to get rid
of the Complainant. She voiced this to the Complainant and made the
Complainant feel that the child was unwanted and unwelcome into the family.

g) The Complainant on many occasions would cry after getting into bed because no
one could understand the physical and mental pain she was being put through by
the Respondent No.1. The Respondent No.1 never had time to listen and would
only fight and argue when the Complainant tried to plead and talk to him. The
Respondent would in his fits of rage physically and mentally abuse the

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Complainant on several occasions. The Complainant continued to tolerate this for
the sake of her small child.

h) The Complainant always made efforts to please the Respondent No. 1 and his
family. They all tolerated the Complainant as long as the Complainant played
puppet in their hands, did what they wanted and lived how they wanted her to live.
The Complainant did everything possible to make her marriage work and in the
manner the Respondent No.1 and his family wanted. However, the Respondent
No.1 was not caring towards the Complainant and never appreciated the efforts
made by the Complainant to keep him and his family happy.

i) The Complainant lived in a joint house for 5 years after her marriage and her life
was miserable due to the aggressive, indifferent, angry behaviour of the
Respondents and continuous insults, taunting, very cold and indifferent attitude of
her in laws. The Complainant was always taunted by her in laws on the ground
that her parents never gave them enough during the marriage and on other festivals
and functions. The Complainant’s parents tried to keep them happy in every way
at every occasion by gifting Complainant’s in- laws with expensive gifts or cash
but they were never satisfied.

j) On or about ________________ the Complainant was beaten up by her in–laws


and at that time she was pregnant with her first Child, the Complainant was even
thrown out of her in-laws House. The Complainant called up her father who came
and took the Complainant to their house. The Complainant stayed at her parents’
house for one and a half month and in between the Respondent No 1 or his family
members did not bother to call or reconcile with the Complainant. After a lot of
persuasion by the father of the Complainant the respondent finally agreed to take
the Complainant into their house.

k) The Complainant states that the Respondent No.1 had a grave drinking problem and
as a result, he drank alcohol very heavily. He had no control over his drinking. The
Respondent No.1 would get drunk, get loud and abusive in the dirtiest of abuses,
throw up, pass out, get violent, spit on the Complainant and make life hell for the
Complainant. The Respondent No.1 never bothered about their son and would

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become abusive physically and become totally uncontrollable in front of their
child. The Complainant’s requests and pleadings to drink within limits were met
with angry and violent physical backlash and opposition from the Respondent
No.1. The Respondent No.1 treated the Complainant with extreme cruelty. l) The
Complainant states that when the Respondent gets into a rage, he completely loses
his control, is abusive and violent and becomes like a demon, and till today he
continues with this behaviour. After ____________, there was no control over
this, and it became a regular feature with the Respondent No.1 to become
physically abusive and violent and even abuse the Complainant in front of the
minor son and in public. The Complainant got no help or support from her parents
in law i.e. Respondent No.2 & 3 and on the contrary, they encouraged and sided
with the Respondent No.1 and wanted the Complainant to cooperate with this
animal behaviour and live with it without complaining or talking about it to her
family. The Respondent No.1’s parents discouraged her from telling her parents
about these incidents by saying that this would further annoy the Respondent No.1
and disturb the peace of the family. The Respondent No.1’s parents kept on
repeating every other day and the Complainant did not know who to turn to for
support and help as her in laws felt the Respondent’s No. 1’s behaviour was
normal and took the mental and physical abuse very lightly and did not bother to
speak to the Respondent No.1 to change his behaviour towards the Complainant.

m) The Complainant was constantly living in fear of her life as the Respondent is
strong physically and has a bad temper, was aggressive, loud and completely
unpredictable in his reaction to the situation. The Respondent No.1 would openly
threaten the Complainant that he would physically harm her in such a manner that
she would repent her whole life. The Complainant did not want to trouble her
parents. The Complainant could not share her grief with anyone and continued to
give in to the Respondent No.1’s demands in the hope that things would get better
and peace would come to the family.

n) The Respondent No.1 not only picked up fights and quarrels with the Complainant
but also fought with the Complainant’s father brother and family publicly, which
brought huge embarrassment, shame and agony to the Complainants. The
Complainant’s plea to the Respondent No.1, to not fight with the Complainant’s
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family was of no avail. The Respondent No.1’s unreasonable and abnormal
behaviour continued to increase with the passage of time and he started to threaten
her for life by saying would slash her throat while she was sleeping.

o) The relationship between the parties became more estranged. The Respondent
No.1 continued with his assault, physical, emotional abuse and they were like
strangers living under the same roof. Things have become so bad that the
Complainant had to call her father on several occasions to control the situation and
prevent further physical abuse at the hands of the respondent No.1 in presence of
Respondent No.2 & 3.
p) That Complainant had in the span of ___ years of marriage got ___ abortions done.
The Respondent use to come drunk to the house late at night and would by force
without the wish of the Complainant get physical with the Complainant, resulting
into making the Complainant pregnant and then without even consulting the
Complainant by force get the said abortions done.
q) That on or about _____ the Respondent again got physical with the Complainant
resulting in her again getting pregnant and when the Respondent went for another
abortion the doctor refused for the said abortion as the body of the Complainant
was not in the state to take up one more abortion hence on advise of the doctor the
Complainant requested the Respondent not to abort the second Child.

r) That on ________ when the Complainant was three- four month pregnant the
respondent No 1 along with his family members fought with the Complainant and
even beat him up, the Complainant in fear called up her father at ______ in the
night and the father of the Complainant came and took the Complainant back with
her to his house. The Complainant even filed a case in the C W Cell against the
respondent but had to withdraw the same as she was pregnant, and she was
advised rest.

s) That on _________ the Complainant left the house of the Respondent and till
___________ no one from the side of the respondent came to meet the
Complainant or even gave a call to ask about her health as she was pregnant. That
during this period the Complainant gave birth to the second Son _____________.
But still the Respondent No1 or his family member did not come to see the child
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and it was finally on _____________ that after one more round of talks between
the father of the Complainant and the Respondent No. 1 that the Respondent No. 1
agreed to take the Complainant into the house of the Respondents.
. t) That after when the Complainant came back to the house of the respondent the
Drinking habits of the Respondent No 1 increased, the Respondent No 1 use to
come drunk late at night and use to even drink in the room. The physical torture of
the Respondent No 1 increased with passage of time.
u) The Complainant could not tolerate the torture, cruelty and behaviour of the
Respondents anymore. The Respondents made no efforts to check upon the
Complainant or her son throughout this period who was under such a mental stress
and trauma at such a tender age.

v) On the contrary the Respondent No.1 and Respondent No.2 on a daily basis shout
and hurl verbal abuses to the Complainant and her family.

w) On ___________the Respondents again abused the Complainant and finally, fed


up with all this the Complainant on ___________________ left the house of the
Respondents and till date has been staying with her parents. The Complainant felt
too scared and confused and even more helpless while she was at her in-laws
house.

x) The respondent No.1 and his family has taken all the valuable belonging of the
Complainant. The details of which were filled before the CW Cell and the same
are Annexed as Annexure ___.
y) That the Complainant submits that the expenses of the Complainant and the sons is
as follows:- (i) School Fees of Son: Rs ,000/- per month (ii) Household expenses
like food, clothing, cleaning etc.: Rs ,000/- per month (iii) Transportation
Expenses: Rs ,000/- per month (iv) Personal and medical expenses of the
Complainant and her sons: Rs ,000/- per month The Complainant as such requires
Rs ,000/- per month to support herself and her children.

z) The respondent No.1 is earning handsomely. The exact figures are not known to
the Complainant. With the view to avoid paying maintenance and supporting the
Complainant and children he is making excuses that he is not working anywhere.
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aa) In ___ years, the Complainant has selflessly given in this relationship emotionally,
physically, mentally, monetarily and demanded nothing but self-respect, support
and love which she was deprived off. The Respondent has provided the
Complainant with no financial security. The Complainant’s entire jewellery was in
possession of the Respondent No.1 and his family which the Respondent No.1 and
his family has refused to hand back. The Complainant has no Fixed Deposit or
property in her name. This has further added to the Complainant’s insecurities,
depression and frustrations.

bb) The Complainant today is left with no self-respect, no self-esteem, no confidence,


no money and everything has been taken away from her. The Complainant is
mentally and emotionally shattered today. The Complainant is unable to look after
her child as such she has no choice but to fall on her parents for financial support.
The provision for the basics needs like food, clothing, education is being provided
from the money being given by the Complainant’s father and brother.

cc) The Complainant has suffered immense pain and hurt from the Respondents. The
Complainant has not slept one night in peace for as long as she can remember. The
Complainant is mentally, physically and emotionally scarred/drained and she is
unable to carry on any more like this.
dd) It is submitted that the Respondent No.1 is having sufficient means but despite
that is neglecting and refusing to maintain the Complainant and the minor sons.
Complainant is unable to maintain herself or her sons. The addresses of the sisters
of the Respondent No 1 are not known to the Complainant and the Respondent No.
1 may be directed to provide the same so that they can be made a party to this
petition.
ee) It is prayed that the Hon’ble Court may take cognizance of the Domestic Incident
and pass the following orders, as deemed necessary in the circumstances of the
present case.
(i) Protection Order under Section 18 Prohibiting acts of domestic
violence by granting an injunction against the Respondents from:

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(ii) Monetary reliefs under Section 20 (A) Rs. 0,000/- per month towards
maintenance for herself and her children (B) Rs. 0,000/- towards
litigation expenses
(iii) Compensation order under Section 22 (a) Direct the Respondent to pay
and amount of Rs. ____ lakhs towards compensation for damages
under the Protection of Women from Domestic Violence Act 2005.
(iv) Interim Relief under Section 23 a) In the light of the above-mentioned
facts and circumstances of the case and the fact that the Complainant is
completely without the basic necessities of food, maintenance and
shelter and has no means to survive and hence an ex-parte ad interim
order for grant of maintenance of Rs. 0,000/- be granted in favour of
the Complainant. All throughout her married life has been treated by
the Respondents with utmost cruelty both mental and physical and has
a prime facie case in her favour. It is further stated that the
Respondents have committed numerous acts of domestic violence and
is entitled to protection under the present act from the respondent by
the police otherwise grave prejudice and harm would be caused to the
Complainant and her minor daughter
(v) Details of previous litigation, if any a) A Complaint filed by
Complainant before the C W Cell on which an FIR has been registered.
Copy of which is annexed as Annexure____. b) An application filed by
Complainant under Section 125 of CrPC for maintenance. Copy of the
same is annexed herewith as Annexure _____.
(vi) The Complainant is residing within the local limit of jurisdiction of this
Hon’ble Court and hence, this Hon’ble Court has the jurisdiction to
entertain the present petition. PRAYER: It is most respectfully prayed
that this Hon’ble Court may be pleased to :-
Pass all such orders or any of the order as deem fit and proper under
section 18, 20, 22 & 23 of the Protection of Women from Domestic
Violence Act, 2005.

Hon’ble Court may please to direct the Respondent to pay and amount
of Rs. _________ lakhs towards compensation for damage u/s 22 of
the Protection of Women from Domestic Violence Act 2005.
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pass an ex-parte ad interim order under Section 23 as mentioned in
Para 4 of the application.

Pass such other Order (s) as this Hon’ble Court may deem fit and
proper in the facts and circumstances of the case.

COMPLAINANT Through ____________

VERIFICATION: -

Verified at Delhi on this day of, __________ that the contents of the complaint are true
and correct to the Complainant’s knowledge and belief to be true on the basis of legal
advice received by the Complainant and the last Para is the prayer clause of the
Complainant.

COMPLAINANT

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FORM-VII
[See Rule 11(1)]
Notice for appearance under Section 13(1) of the Protection of Women from
Domestic Violence Act, 2005

IN THE COURT OF __________________________________________________________

In the matter of: __________________________________P/S_________________________

Between: of 2024 _______________________________________________________Complainant

Versus
______________________________________________________________________Respondent

Whereas the Petitioner has filed an application(s) under Section __________ of the protection of
______________ 2024_______ at O’clock in the ________ noon personally or through the Applicant
against you should not granted, failing which the Court shall proceed ex-parte against you.
Given under my hand and the seal of this Court on the_________ day of__________________ 2024.

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ADJOURNMENT APPLICATION

IN THE COURT OF THE CIVIL JUDGE, ______________________

Civil Suit No. /

_________________________________ ) Plaintiff

VS

__________________________________ ) Defendant

APPLICATION FOR ADJOURNMENT


The defendant above named submits this application praying to state as under:

1.That the plaintiff has filed the present against this defendant for declaration and temporary
injunction.

2.That the defendant has already submitted his written statement to the said plaint.

3.That the said matter has today, the _____ day of ______ been fixed for recording the evidence of
this defendant.

4.That, however, since has met an accident on______ , and still bed-ridden, it will not be possible for
the defendant to remain in this Hon'ble Court today as well as during the next one fortnight.

5.That in the circumstances, it is prayed that the matter may kindly be postponed to the next suitable
date.

ADVOCATE FOR THE DEFENDANT


Place:
Dated:

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VAKALATNAMA

[VAKALATNAMA]

BEFORE THE HON’BLE COURT OF ____________________________


AT [MUMBAI, MAHARASHTRA]

IN THE MATTER OF: __________________________________________Suit No/Appeal No.


Jurisdiction of 2024.

In re:
_______________________________________________________________Plantiff/ Appellants/

Versus

______________________________________________________________Defendant/ Respondent

I/We, the undersigned, do hereby appoint and authorize ______________________ ( Lawyers


Name), _____________ ( Lawyers Firm Name)
_________________________________________(Address)

To act, appear and plead in the above-noted case in this Court or in any other Court in which the
same may be tried or heard and also in the appellate Court including High Court subject to payment
of fees separately for each Court by me/ us.

To sign, file verify and present pleadings, appeals cross objections or petitions for execution review,
revision, withdrawal, compromise or other petitions or affidavits or other documents as may be
deemed necessary or proper for the prosecution of the said case in all its stages.

To file and take back documents to admit and/or deny the documents of opposite party.

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To withdraw or compromise the said case or submit to arbitration any differences or disputes that
may arise touching or in any manner relating to the said case.

To take execution proceedings.

The deposit, draw and receive money, cheques, cash and grant receipts thereof and to do all other
acts and things which may be necessary to be done for the progress and in the course of the
prosecution of the said case.

To appoint and instruct any other Legal Practioner, authorizing him to exercise the power and
authority hereby conferred upon the Advocate whenever he may think it to do so and to sign the
Power of Attorney on our behalf.

And I/We the undersigned do hereby agree to ratify and confirm all acts done by the Advocate or his
substitute in the matter as my/our own acts, as if done by me/us to all intents and purposes.

And I/We undertake that I / we or my /our duly authorized agent would appear in the Court on all
hearings and will inform the Advocates for appearance when the case is called.

And I /we undersigned do hereby agree not to hold the advocate or his substitute responsible for the
result of the said case. The adjournment costs whenever ordered by the Court shall be of the
Advocate which he shall receive and retain himself.

. I/We hereby agree that once the fee is paid. I /we will not be entitled for the refund of the same in
any case whatsoever. If the case lasts for more than three years, the advocate shall be entitled for
additional fee equivalent to half of the agreed fee for every addition three years or part thereof.

IN WITNESS WHEREOF I/We do hereunto set my /our hand to these presents the contents of
which have been understood by me/us on this ____________ day of ____________2024. Accepted
subject to the terms of fees.

Advocate Signature _______________________ )


Client Signature ________________ )
Place____________________ )
Date___________________)

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4. DRAFT A LETTER OF ATTORNMENT
SITUATION – You have sold your house which is given on rent to Mr. Sameer Shinde address as
H3-502, Sunder Apt. Pratiksha Nagar, Sion East, Mumbai -22 to Mr. Haripal Singh residence of
room no. 702, S.M. Road Dadar West, Mumbai

LETTER OF ATTORNMENT

To, Mr. Sameer Shinde


H3-502, Sunder Apt.
Pratiksha Nagar
Sion East, Mumbai -400022
Maharashtra, India Date: xx.xx.2024

Sub: Sale of Property at (description of the Property) _____________________

____________________________________________Vendor

To
____________________________________________ Purchaser

Dear Sir/ Madam

1. You are the tenant/occupant in respect of the premises bearing No.


__________________________ on the _________________________ floor of the building known
as ________________________ situated at ________________________________.

2. This is to inform you that we, the owners, have planned to sell, conveyed and transferred the above
referred property to __________________________________________ whose address is as under:

________________________________

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3. The said __________________________________are now the Landlords and the Owners of the
above property and you are hereby required to attorn your tenancy/occupancy rights in their favour.

4. You are requested to pay rent/ compensation payable in respect of the premises in your occupation
to the said _______________________________ w.e.f. _________________________________
and to directly deal with them for all purposes relating to the property and your tenancy/occupancy.

Yours’s Faithfully
(Ms. Sangeeta Jyoti Das)

Cc: (New Owner):


Mr. Haripal Singh

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5. SALE DEED/DEED OF CONVEYANCE

This Sale deed is executed at Mumbai on the 5th day of September 2020

BETWEEN

Mr. Varun Dhawan, an adult Indian aged about 33 years, residing at Flat no. 1201, Sundeck
Apartment, Off Turner Road, Pali Hill, Bandra West, Mumbai -400050, herein after referred to as
“Vendor of One Part” (Which expression shall unless it be repugnant to the context and meaning
thereof, include his/her legal heirs, executors and administrators)

AND

Mrs. Minakshi Negi, an adult Indian, aged about 46 years, residing at Flat no. 1102 Laxmi Industrial
Estate, New Link Road, Andheri West, Mumbai-400053, herein after referred to as “Purchaser of
other Part” (which expression shall unless it be repugnant to the context and meaning thereof include
his/her legal heirs, executors, administrators and assigns

AND WHEREAS a flat situate at and more particularly described in the schedules annexed hereto
(herein after referred to as “The said flat” for the sake of brevity) , admeasuring about 450 Sq. Feet
was originally acquired and purchased by Vendor etc. pursuant to an agreement dated 22nd June
2015 entered into between Manish Dubey , the developer and the Vendor by virtue of which he/she
became fully seized and possessed of the “said Flat” as the owner thereof

AND WHEREAS the “Vendor” has obtained a suitable accommodation elsewhere and was desirous
of leaving the “Said Flat” and whereas the “Purchaser” was desirous of obtaining a better
accommodation for the growing needs of his/her family, he/she (Purchaser) approached the “Vendor”
in connection with the “Said Flat” and upon holding preliminary rounds of discussions , both of them
agreed upon certain mutual points of agreements and in terms of those points, they have now agreed
to and do hereby agree to enter into an agreement for sale in respect of the “Said Flat” in favour of
the “purchaser”.

WHEREAS the VENDOR is the exclusive owner of the property more fully described in the
schedule hereunder and he has absolute right to dispose of the same as in the manner he wishes;

AND

WHEREAS the VENDOR is in need of funds in order to meet his personal commitments and
family expenses and has decided to sell the property more fully described in the Schedule hereunder

Page 24 of 28
for a sum of Rs_____________________________ /- (Rupees_______________ _________only)
and the PURCHASER herein has also agreed to purchase the same for the said price and to the effect
they entered into an agreement to sell dated.

NOW THIS DEED OF SALE WITNESSETH THAT in pursuance of the aforesaid agreement and
in consideration of a sum of________________________________Rs._____________________
(Rupees_________________ only) received by the VENDOR in cash and the receipt of the said
entire consideration of Rs. __________________ (Rupees _________________________________
only), the VENDOR doth hereby admit, acknowledge, acquit, release and discharge the VENDOR
from making further payment thereof and the VENDOR doth hereby sell, convey,

transfer and assigns unto and to the use of the PURCHASER, the property more fully described in
the Schedule hereunder together with the water ways, easements, advantages and appurtenances, and
all estate, rights, title and interest of the VENDOR to and upon the said property TO HAVE AND TO
HOLD the said property hereby conveyed unto the PURCHASER absolutely and forever. THE
VENDOR DOTH HEREBY COVENANT WITH THE PURCHASER AS FOLLOWS:

1. That the property more fully described in the Schedule hereunder shall be quietly and
peacefully entered into and held and enjoyed by the PURCHASER without any interference,
interruption, or disturbance from the VENDOR or any person claiming through or under him.

2. That the VENDOR has absolute right, title and full power to sell, convey and transfer unto
the PURCHASER by way of absolute sale and that the VENDOR has not done anything or
knowingly suffered anything whereby his right and power to sell and convey to the
PURCHASER the property hereby conveyed.
3. That the property is not subjected to any encumbrances, mortgages, charges, lien,
attachments, claim, demand, acquisition proceedings by Government or any kind whatsoever
and should thereby and the VENDOR shall discharge the same from and out of his own funds
and keep the PURCHASER indemnified.

4. That the VENDOR hereby declares with the PURCHASER that the VENDOR has paid all
the taxes, rates and other outgoings due to Local bodies, revenue, urban and other authorities
in respect of the property more fully described in the Schedule hereunder up to the date of
execution of this sale deed and the PURCHASER shall bear and pay the same hereafter. If
any arrears are found due to the earlier period, the same shall be discharged by the VENDOR.

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5. That the VENDOR has handed over the vacant possession of the property more fully
described in the Schedule hereunder to the PURCHASER on _________________ and
delivered the connected original title document in respect of the schedule mentioned
property hereby conveyed on the date of execution of these presents.

6. That the VENDOR will at all times and at the cost of the PURCHASER execute, register or
cause to be done, all such acts and deeds for perfecting the title to the PURCHASER in the
property hereby sold and conveyed herein.

7. That the VENDOR do hereby covenants and assures that the PURCHASER is entitled to
have mutation of his name in all public records, local body and also obtain patta in the name
of the PURCHASER and undertakes to execute any deed in this respect.

IN WITNESS WHERE OF the parties have put their respective hands the day and the year first herein
before mentioned.

Signed, Sealed and Delivered


by the Within named ‘Vendor’ Mr. Varun Dhawan in the presence of Priya Malhotra
Witness: -

Name: - Priya Malhotra


Address: - Flat no. 901 Ashtvinayak Guru Nanak Road/Turner Road, Near to Bandra Railway
Station, Bandra Railway Station, Bandra West, Mumbai-400050
Signed, Sealed and Delivered by the
Within named ‘Purchaser’ Mrs. Minakshi Negi in the presence of Mr. Ayush Negi
Witness: -
Name: - Ayush Negi
Address: - at Flat no. 1102 Laxmi Industrial Estate, New Link Road, Andheri West, Mumbai-400053

Page 26 of 28
SCHEDULE OF PROPERTY

Schedule of Property
Flat No. 1802, admeasuring about 450 Sq. Feet (Carpet area) lying and situate at 18th Floor of
Oberoi Enclave Society CHS, Plot Number 42, near J.W. Marriott Bandra West, Mumbai, India-
PINCODE- 400050

Discharge Receipt
Dated: - 10th September 2020
This is to acknowledge that today I have received a sum of Rs. 500000/- (Rs. Five Lakh Only) from
Mrs. Minakshi Negi (Purchaser), towards the earnest money for the sale of my flat, lying and situate
at 1802 Oberoi Enclave Society CHS, Plot Number 42, near J.W. Marriott Bandra West, Mumbai,
India- 400050 and more particularly described in the Schedule of Property above.

I say received.
Mr. Varun Dhawan

Witnesses: VENDOR

1)

2) THE PURCHASER

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Reference:

Bibliography: (Bibliography): Law-on-Drafting-Pleading-Conveyancing-YAL.pdf

Webliography:

http://ipleaders.com

https://www.studocu.com/in/document/drafting-pleading

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