Upgrad
LCI Learning

Share on Facebook

Share on Twitter

Share on LinkedIn

Share on Email

Share More


PROFORMA – DIVORCE PETITION.

 

IN THE COURT OF THE __________________DISTRICT JUDGE

TO  THE COURT OF DISTRICT JUDGE, _____________________

(The name of the Court in which the suit is brought)

 

 

______________________________ … … PETITIONER

(The name, description and place of residence of the plaintiff)

 

VERSUS

 

_____________________________  … … RESPONDENT

(The name, description and place of residence of the defendant, so far as they can be ascertained)

 

Petition under Secs ____________________________of  The Hindu Marriage Act, 1955.

 

The aforesaid petitioner begs to submit as under:-

Most respectfully showeth that:-

 

1.  The petitioner and respondent solemnized the marriage on _______ (date) at  __________________________________ (name the place of marriage) according to the custom prevailing under The Hindu Marriage Act, 1955.

 

2.  The parties were last resided together at the ______________ __________________________________ (name the place, where parties were last resided together).

 

3.  Details of the issues (if any) were born out of this wedlock:-

______________________________________________________

 

 

4.    Respondent has, after the solemnization of the marriage, treated the petitioner with cruelty. The facts date wise is as bellow.

 

FACTS

 

 

Sl.no.

Date.

Particulars.

(i)

 

 

(ii)

 

 

(iii)

 

 

(iv)

 

 

(v)

 

 

(vi)

 

 

(vii)

 

 

 

 

 

5.    Respondent has deserted the petitioner for a continuous period of not less than two years immediately preceding the presentation of the petition whose details are as bellow.

 

___________________________________________________________________________________________________________________________________________________________ .

 

 

GROUNDS

(a)_________________________________________________

(b)_________________________________________________

(c)_________________________________________________

 

6.  That the petition is not made in collusion with the respondent.

 

7.  Prescribed court fees Rs.______ affixed with the petition.

 

PRAYER

 

 

It is prayed that, a decree for divorce be passed considering the above mentioned facts & grounds, in the interest of justice.

 

 

Date: ________                                (Petitioner in Person)

Place:___________

 

 

 

 

VERIFICATION

 

I, _______________________ (name of the petitioner) son/ daughter of______________ (name of the father/mother) do hereby verify that the contents of Para _____ to ___ are true to the best of my knowledge and believe, and signed on the day ______________   ___________________________________ (write here the date by spelling) and verified this at ____________________  (name the place of verification) after having read the contents.

 

 

Date: ________                                (Petitioner in Person)

Place:___________

 

 


"Loved reading this piece by Arup ?
Join LAWyersClubIndia's network for daily News Updates, Judgment Summaries, Articles, Forum Threads, Online Law Courses, and MUCH MORE!!"






Tags :


Category Family Law, Other Articles by - Arup  



Comments


update