IN
THE COURT OF SH. _______________, LD. DISTRICT JUDGE; (COMMERCIAL) DIST.
SOUTH-EAST; SAKET COURTS; NEW DELHI.
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CS
(COMM) No. XXX OF 20**.
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IN THE MATTER OF :-
XXXXXÂ Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â : PLAINTIFF
VERSUS
XXXXXÂ Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â
                  : DEFENDANT
D.O.H.: XXXXX
APPLICATION FOR AND ON BEHALF OF
THE APPLICANT / PLAINTIFF UNDER SECTION 151 OF C.P.C. SEEKING SERVICE OF THE
SUMMONS TO THE DEFENDANTS IN ANOTHER CASE WHERE THEY APPEARED.
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MOST
RESPECTFULLY SHOWETH :-
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1.      That the
aforesaid commercial recovery suit has been filed by the Plaintiff against the
Defendant is pending before this Hon’ble Court and the same is fixed for XXXXX.
2.      That it
is respectfully submitted that despite of repeated services of the summons, the
defendants are intentionally and deliberately avoiding the services of summons
of the Hon’ble Court on the registered address of the Defendant Company.
Interestingly, however, in another Complaint Case bearing No. XXXXX under
Section 138 N.I. Act filed by the Plaintiff against the Defendants before the
Ld. XXXXXX wherein defendants duly served the summons at the same registered addresses
of the Defendants and wherein they appeared regularly. The Plaintiff suspects
intentional avoidance of service in this particular case.
3.      In view
of the above, the Plaintiff seeks the permissions of this Hon’ble Court to grant
opportunity to the Plaintiff to serve the summons to the Defendants in the said
Complaint Case bearing No. XXXXX under Section 138 N.I. Act pending before the XXXXXX
wherein the Defendants have appeared.
4.      That it
is in the interest of justice, if the Hon’ble Court may be allowed the present
application for service of the summons in the aforementioned case.
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PRAYER:-
         It is, therefore, most respectfully
prayed that this Hon’ble Court may kindly be pleased to allow the Plaintiff to
service the summons in the aforementioned case where the Defendants have
appeared, in the interest of justice.
         It is prayed accordingly,
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DELHIÂ Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â APPLICANT
/ PLAINTIFF
THROUGH
DATED
:-
XXXXX
ADVOCATES
XXXXX
Mobile No. +91 XXXXX
Email: XXXXXX
IN
THE COURT OF SH. _______________, LD. DISTRICT JUDGE; (COMMERCIAL) DIST.
SOUTH-EAST; SAKET COURTS; NEW DELHI.
Â
CS
(COMM) No. XXX OF 20**.
Â
IN THE MATTER OF :-
XXXXXÂ Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â Â :
PLAINTIFF
VERSUS
XXXXX
                                                     : DEFENDANT
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AFFIDAVIT
Affidavit of Mr. ………………, AR of the M/s. XXXXX having
registered office at ………………………., New Delhi, do hereby solemnly affirm and state
as follows: -
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1.      That I am the AR of the plaintiff
company in the above noted matter and am competent to depose by way of this
affidavit in the aforesaid capacity.
2.      That the
accompanying application under Section 151 of C.P.C. has been drafted under my
instructions, which has been read and understood by me and I say that the
contents of the same are true and correct. That the contents of paras of the
application are true on the bass of the records of the plaintiff and believed
to be correct.
DEPONENT
VERIFICATION:
-
         Verified at de on this ___ day of April,
2024 that the contents of para 1 to 3 of the above affidavit are true and
correct to my knowledge. No part of it is false and nothing material has been
concealed therefrom.
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DEPONENT