When the marriage damages you, Divorce is not a bad word...
Divorce Lawyer India Registration   +91 98422 49605         

Home   |    About Us   |    Legal Services   |    Online Legal Services   |    Contact   |    Divorce FAQ    |    Divorce News




APPLICATION FOR ANTICIPATORY BAIL BEFORE HIGH COURT



In the High Court at Chennai
(Criminal Miscellaneous Jurisdiction)


In the matter of an Application for anticipatory bail under section 439, Cr PC

Shri……… son of Shri……. residing at......................

............................... Petitioner
versus


The State .................. Respondent

To

Chief Justice and His Companion Justices of the Hon'ble Court

The humble petition of AB, the petitioner above-named

RESPECTFULLY SHOWETH:-

1. That petitioner being an eminent trader with a long-standing business in Coimbatore and being an income-tax and sales-tax assessee.

2. Petitioner permanently reside in Coimbatore.

3. Due to personal enmity, my neighbour, Mr XXX., lodged a vexatious complaint against the petitioner before police alleging hurt..

4. That factually complainant intents humiliating/harassing applicant and tarnishing his image in society..

5. Your petitioner fears that by said complaint the police may arrest petitioner by throwing the petitioner to mental harassment, trouble and physical inconvenience.

6. That the petitioner undertakes to obey all the terms/conditions as imposed upon him on order of bail.

7. That if anticipatory bail is not allowed the petitioner will suffer irreparable injury.

8. That the application is made bona fide and in the interest of justice.

The petitioner humbly prays that Your Lordships may kindly pleased to instruct if petitioner being arrested concerning this case the petitioner will be released on bail immediately/or may pass such other order/orders as Your Lordships may deem proper and fit.

And your petitioner is duty bound, shall ever pray.

Advocate.

Signature of Petitioner.
Verification


I, Shri……… son of Shri…….., by occupation business, residing at………Coimbatore .................. do hereby solemnly affirm and say as follows:

1. I am the petitioner above-named. I know the facts of this case and I am able to depose thereto.

2. The statements in paragraphs 1 to 8 in the foregoing petition are true to my knowledge and belief.

3. I sign this verification on the 11th day of September 2006 in Coimbatore.

Solemnly affirmed by the said Shri…… on 11th day of September 2003 in the Court House at Chennai.

DEPONENT



Visit       www.vpslawfirm.com