IN THE COURT OF LD. PRINCIPAL JUDGE, FAMILY COURT, TIS HAZARI COURTS, DELHI
H.M.A. PETITION ____20XX
In the matter of:
XXXXXXX ...PETITIONER
VERSUS
I N D E X
S.NO PARTICULARS C.FEE PAGES
1. Memo of parties.
2. Petition under
section 13(1)(ib)
of HMA for dissolution of marriage
along with affidavits.
3. List of documents
4. Vakalatnama.
DELHI. PETITIONER
DATED THROUGH
(XXXXXXXXXXXXX)
OFFICE:- XXXXXX
MOB:
XXXXXXXXX
IN THE COURT OF LD.
PRINCIPAL JUDGE, FAMILY COURT, TIS HAZARI COURTS, DELHI
H.M.A. PETITION ____20XX
In the matter of:
XXXXXXX ...PETITIONER
VERSUS
MEMO OF PARTIES
SH.
XXXXXXXXXXX
S/O
XXXXXXXXXXX
R/O XXXXXXXXXX,
XXXXXXXXXXXXXX ….PETITIONER
VERSUS
SMT.
XXXXX
W/O
XXXXXXXXXXXX
D/O XXXXXXXXXXX
R/O XXXXXXXXXXX ....RESPONDENT
DELHI. PETITIONER
DATED THROUGH
(XXXXXXXXXX)
OFFICE:XXXXXX
MOB:XXXXXXX
Email:XXXXXXX
IN THE COURT OF LD.
PRINCIPAL JUDGE, FAMILY COURT, TIS HAZARI COURTS, DELHI
H.M.A. PETITION ____20XX
IN
THE MATTER OF :-
SH.
XXXXXXX
S/O
SH.XXXXXXXXX
R/XXXXXXXXXXXXX
….. PETITIONER
VERSUS
SMT.
XXXXXXXXX
W/O
SH. XXXXXXXXXX
D/O
SH. XXXXXXXXXX
R/O
XXXXXXXXXXXXX ….RESPONDENT
PETITION UNDER SECTION 13(1) (ib) OF THE HINDU MARRIAGE ACT, 1955 FOR THE GRANT OF DIVORCE ON THE
GROUND OF DESERTION
1.
That
the marriage between the parties to this petition was solemnized on XXXXXXX in
accordance with Hindu Rites, Ceremonies at Distt Chandauli, U.P, The marriage
was consummated but no child has been born from the said wedlock.
2.
That
the status, age and place of residence of the parties to the marriage, before
the marriage and at the time of filing of this petition were/ are as follows:-
BEFORE THE
MARRIAGE
Husband |
Wife |
||
STATUS
& AGE |
RESIDENCE |
STATUS
& AGE |
RESIDENCE |
HINDU,
BACHELOR, XX
YEARS, |
H.NO.
XXXXXXXXXXXXXXXXXX |
HINDU,
VIRGIN, XXX YEARS, |
VILLAGE
XXXXXXXXXXXXXXXX |
AT
TIME OF FILING THE PRESENT PETITION
Husband |
Wife |
||
STATUS
& AGE |
RESIDENCE |
STATUS
& AGE |
RESIDENCE |
HINDU,
BACHELOR, XX
YEARS, |
H.NO.
XXXXXXXXXXXXXXXXXX |
HINDU,
VIRGIN, XXX YEARS, |
VILLAGE
XXXXXXXXXXXXXXXX |
3.
That
the respondent is a very much adamant lady and very much dominated in her
family as well tried to dominate in the petitioner’s family and used to quarrel
with the petitioner with petty issues and most of the time, she lived with her
parents’s home and so many times the petitioner went to the take the respondent
but always she denied to accompany with the petitioner and always made excuse
that she wanted to live in her home only and don’t like the life of Delhi since
she is not able to adjust in Delhi.
4.
That
due to the temperamental differences and behavior of the parties hereto, they
could not live together much longer as husband and wife, and petitioner and
respondent have been living separately permanently from each other since
XXXXXXXX
5.
That
all the efforts of reconciliation made by family members, relatives &
friends of petitioner and respondent have failed, and there was no possibility
of their reconciliation in future. As such the petitioner and respondent have
finally decided to obtain divorce with mutual consent.
6.
That
at time of first motion of divorce between the petitioner and respondent were
arrived to the settlement of their own free will and without any threat,
compulsion or coercion from any corner and both the parties shall not interfere
in their peaceful life anymore in future.
7.
That
at the time of first motion of divorce for the above said reasons, petitioner
no. 1 and the Respondent were given their respective consent for the
dissolution of the marriage by mutual consent, which is given by them on their
own free will, sound mind without any coercion or undue influence or any
violation or any force.
8.
That
at the time of first motion of divorce petitioner and respondent have settled
all their claims and disputes with each other amicably with regard to
Istridhan, maintenance and permanent alimony.
9.
That
it was also undertaken by petitioner and respondent hereto that they will work
for the compromise with mutual understanding and co-operation.
10.
That
a joint petition Under Section 13(B)(1) (HMA No. 368/11) of
the Hindu Marriage Act was also filed on XXXXXX. Both the parties appeared
before the Court of learned Addl. District Judge, XXXXXX on XXXXXX and
statements were recorded of petitioner and respondent and order for First motion of
divorce has been passed by Hon’ble Court in favour of petitioner and
respondent.
11. That the affidavit dated
XXXXXXX is also annexed with the petition of first motion of divorce filed by
respondent that due to temperamental differences and attitude she could able to
live together and wanted to separate mutually amicably by way of decree of
divorce with her sweet will and consent without any pressure.
12. That after the period of six
months of first motion of divorce, the petitioner and respondent signed the
petition for second motion of divorce U/S 13(B)(2) and signed the supporting
affidavits on XXXXXXX of the petition and filing the petition but on the
eleventh hour the respondent denied to file the petition in the hon’ble court
and wife/respondent is avoiding the second motion of divorce.
Petitioner-Husband had already fulfilled all his obligations and liabilities
against respondent-wife and returned all the articles i.e entire istridhan etc,
which was received by the respondent and admitted in the petition of first
motion of divorce and also admitted in her affidavit.
13. That respondent/wife is not
ready to join the company of petitioner from last 4 years and petitioner has
deserted by the respondent for continuous of more than 4 years.
14. That respondent/wife is
misusing the process of this court and respondent did not turn up for the
second motion of divorce after repeated reminders from petitioner- husband and
disserting, harassing the petitioner-husband.
15. That both the parties living
separately since XXXXXXX and it is admitted fact by the respondent in the
petition of mutual consent of divorce and petitioner- husband already fulfilled
all the conditions of first motion petition of divorce.
16. That the petitioner is residing at Delhi & the first motion of
divorce u/s 13 (B)(1) was passed by the Hon’ble ADJ-03, Tis hazari courts,
Delhi, hence this Hon’ble Court has got the jurisdiction to try and decide the
present petition.
17. That there is no similar or any other proceeding with regard to
the dissolution of the instant marriage has taken place in this Hon’ble Court
or any other Court of Law.
18.
That
the appropriate court fee, as required under the law, has been paid on the
petition.
P
R A Y E R
It is most respectfully prayed that
this court may accept the present petition U/s 13(1)(ib) of HMA and grant a
decree of divorce to the petitioner on the ground of desertion in the interest
of justice.
Any other order, which this court may
deem fit and proper to pass in favour of petitioner and against the respondent
in the interest of justice.
DELHI. PETITIONER
DATED THROUGH
(XXXXXXXXXXXXX)
OFFICE:- XXXXXX
MOB: XXXXXXXXX
Email:XXXXXXXXX
IN THE COURT OF LD.
PRINCIPAL JUDGE, FAMILY COURT, TIS HAZARI COURTS, DELHI
H.M.A. PETITION ____20XX
In the matter of:
XXXXXXX ...PETITIONER
VERSUS
AFFIDAVIT
I, XXXXX S/o
XXXXXXXX R/o XXXXXXXXX, XXXXXXXXXXX, do hereby solemnly affirm and declare as
under:
1.
That
the deponent is the petitioner in the above-named petition and is fully
conversant with the facts and circumstances of the case.
2.
That the marriage
between the parties was solemnized on XXXXXX at U.P and out of the wedlock no
issue was born.
3.
That there is
irretrievable break down of the marriage due to incompatible behavior, conduct
and temperament of the parties.
Accordingly, the parties to the petition have been living separately
since XXXXXXX and have not been able to live together or cohabited since then
and the petitioner has been deserted by the respondent for a continuous period
of more than four years.
4.
That the
accompanying petition has been drafted by my counsel under my instructions and
contents have been read over and explained to me in my vernacular, which I have
understood and are true and correct.
Deponent
Verification:
Verified
at Delhi on the day of ______, March 20XX
that the contents of the above affidavit are true and correct and nothing has
been concealed there from.
Deponent
IN THE COURT OF LD.
PRINCIPAL JUDGE, FAMILY COURT, TIS HAZARI COURTS, DELHI
H.M.A. PETITION ____20XX
In the matter of:
XXXXXXX ...PETITIONER
VERSUS
LIST OF DOCUMENTS
S.NO PARTICULARS PAGES
1. XXXXXXXXXXXXX
2. XXXXXXXXXXXXX
3. XXXXXXXXXXXXX
4. XXXXXXXXXXXXX
5. XXXXXXXXXXXXX
DELHI. PETITIONER
DATED THROUGH
(XXXXXXXXXXXXX)
OFFICE:- XXXXXX
MOB:
XXXXXXXXX
Email:XXXXXXXXX