IN THE COURT OF XXXXX; LD. M.M., SAKET COURTS, NEW DELHI.

 

IN THE MATTER OF :-

XXXXX                        V/S.                     XXXXX

                                                                      FIR No. XXXXX

U/s XXXXX IPC

P.S. XXXXX,

N.D.O.H.: XXXXX

 

APPLICATION FOR AND ON BEHALF OF THE APPLICANT / ACCUSED SEEKING CORRECTION IN THE APPLICATION MOVED BY THE APPLICANT FOR CANCELLATION OF NON BAILABLE WARRANT.

 

MOST RESPECTFULLY SHOWETH:-

 

1.       That the applicant has moved an application seeking cancellation of NBW and this Hon’ble Court pleased to adjourn the hearing of that application for 16.05.2016.

 

2.       That inadvertently in the application FIR Number as well as the offences have wrongly been mentioned whereas, the actual FIR is FIR No.XXXXX under the offences of XXXXX IPC.

 

3.       That the aforesaid mistake has occurred inadvertently as such this Hon’ble Court may please hear the application filed in the FIR No. XXXXX and under the offences of XXXXX IPC.

 

          It is prayed accordingly.

 

DELHI                                                        APPLICANT/ACCUSED

THROUGH

DATED

COUNSEL


 

IN THE COURT OF XXXXX; LD. M.M., SAKET COURTS, NEW DELHI.

 

IN THE MATTER OF :-

XXXXX    V/S.           XXXXX

                                                                      Complaint Case 47/1

U/s XXXXX IPC

P.S. XXXXX,

N.D.O.H.: XXXXX

 

APPLICATION FOR AND ON BEHALF OF THE APPLICANT / ACCUSED SEEKING CORRECTION IN THE APPLICATION MOVED BY THE APPLICANT FOR CANCELLATION OF NON BAILABLE WARRANT.

 

MOST RESPECTFULLY SHOWETH:-

 

1.       That the applicant has moved an application seeking cancellation of NBW and this Hon’ble Court pleased to adjourn the hearing of that application for 16.05.2016.

 

2.       That inadvertently in the case title of that application the title has been mentioned as “XXXXX Vs. XXXXX” and the offence has mentioned as 492 of IPC whereas the case title of the aforesaid case is “Dr. XXXXX Vs. XXXXX” and the offence is under Section 495 of IPC.

 

3.       That the aforesaid mistake has occurred inadvertently as such this Hon’ble Court may please hear the application filed in the complaint case titled as Dr. XXXXX Vs. XXXXX” and the offence under Section 495 of IPC.

 

It is prayed accordingly.

 

DELHI                                                        APPLICAT/ACCUSED

THROUGH

DATED

 

COUNSEL

 

IN THE HON’BLE COURT OF CHIEF JUDICIAL MAGISTRATE; GHAZIABAD, U.P.

 

Last Report No. XXX

Date of Incident XXXX

Police Station XXXX

 

APPLICATION FOR PROVIDING THE CERIFIED COPY OF UNTRACE REPORT OF VEHICLE NO.XXXX.

 

Most Respectfully Showeth :-

 

1.       That the applicant / owner of the vehicle no. DL-XXXX lodged a Last Report No.XXXX with the Police Station XXXX.

 

2.       The police had filed untraced report on XXXX before this Hon’ble Court.

 

PRAYER :-

          It is prayed that this Hon’ble Court may kindly provide certified copy of untraced report of said report no.XXXX of vehicle no. XXXXX, in the interest of justice.

 

 

APPLICANT /OWNER

XXXXX

S/o XXXXXX

R/o XXXXXXXX

 

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