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AN APPLICATION FOR ATTACHMENT BEFORE JUDGMENT

IN THE COURT OF THE CIVIL JUDGE, SENIOR DIVISION, PUNE


AT PUNE
Special Civil Suit No. _/ 200_
Shri _A_B_C_ _ Plaintiff
Versus
Shri________X ___Y_Z_____ _ Defendant

AN APPLICATION FOR ATTACHMENT BEFORE JUDGMENT

The plaintiff above-named submits this application, praying to state as follows

1. That the plaintiff has filed in this Hon'ble Court the present suit against the
defendant for a huge amount of money claim of Rs. 6,00,000/-.

2. That the defendant has already been served with a notice on……, and
immediately on the following day, he published an advertisement in the daily
"Sakal", offering the sale of his property bearing House No. 420 of Kasba Peth,
Pune City, and the plaintiff believes that the defendant is trying to dispose of the
said property and leaving from here with an intention to defeat the decree that
may be passed against the defendant and in favour of this plaintiff.

3. That the plaintiff also believes that the defendant holds no other property except
and save the said house property within the local limits of the jurisdiction of this
Hon'ble Court.

4. That the plaintiff apprehends that, if the defendant were to succeed in his
malicious plan and designs, the order and decree of this Hon'ble Court, when
passed, would be rendered infructuous and thereby the plaintiff would be
subjected to suffer irreparable loss and damage, and hence, this application.

5. That this application being chargeable with a fixed rate of court-fee, the same is
paid herewith.

6. That the plaintiff, therefore, prays that during the pendency of this suit, the said
property bearing House No. 420 of Kasba Peth, Pune City, be kindly attached.
An affidavit in support herewith is filed herewith.

Pune, Sd/- ABC


PLAINTIFF
Dated:_________

Sd/-xXx
ADVOCATE FOR PLAINTIFF

AFFIDAVIT
I, Shri ABC, the present plaintiff, do hereby state on solemn affirmation as follows :

1. That the plaintiff has filed in this Hon'ble Court the present suit against the
defendant for a huge amount of money claim of Rs. 6,00,000/-.

2. That the defendant has already been served with a notice on………, and
immediately on the following day, he published an advertisement in the daily
"Sakal", offering the sale of his property bearing House No. 420 of Kasba Peth,
Pune City.

3. That the plaintiff believes that the defendant is trying to dispose of the said
property and leaving from here with an intention to defeat the decree that may be
passed against the defendant and in favour of this plaintiff.

4. That the plaintiff also believes that the defendant holds no other property except
and save the said house property within the local limits of the jurisdiction of this
Hon'ble Court.

5. That the plaintiff apprehends that, if the defendant were to succeed in his
malicious plan and designs, the order and decree of this Hon'ble Court, when
passed, would be rendered infructuous and thereby the plaintiff would be
subjected to suffer irreparable loss and damage, and hence, this application.
WHATEVER stated above is true and correct to the best of my knowledge and
belief, so I have signed hereunder at Pune this day…..of……..200_

Sd/- ABC PLAINTIFF

I know the Plaintiff


Sd/-xXx
ADVOCATE

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