Tuesday, January 4, 2011

DP3 Complaint against Father-in-Law and Mother-in-Law [ Dowry Givers and Abettors] to Court

IN THE HONOURABLE COURT OF CJM/CMM
Location (City/Village)
 O.P. No:         OF 2010
BETWEEN:

Mr.  ?????? S/o: ????????
Occ:?????, AGE:??,
R/o: ?????
                                                                                                       ….COMPLAINANT
                                                                  AND:


DP3 (Dowry Giver) S/o or W/o: ??????
Occ: ?????, AGE:?? ,
R/o:????? 
     

DP3 ( Abettor) S/o or W/o: ??????
Occ: ?????, AGE:?? ,
R/o:????? 
                                                                                                       ....ACCUSED





COMPLAINT FILED U/S 200 Cr.P.C.

Humble complaint petition filed on behalf of the abovenamed coplainant.


Nature of offence:                                      U/s 3 of DPA
Date/Time of occurance:                             ————
Place of offence:                                         ————
Jurisdiction of police Station:                       Local Police Station,    
List of Witness:                                           The Complainant


May it please your Honour, 

I, Name,  S/o ??????, the Complainant herein, Age: atttained Puberty, Occupation: Private employee, R/o #2728, A.P. - 498.  hereby state that respectfully submit that 



On Date  my wife Smt. 498a [aka: name ] filed a criminal complaint with FIR No.114/2010 & CC No. 170/2011 on the file of your [498a Bench] Police Station and Hon’ble Court of First Additional Metropolitan Magistrate respectively. The SHO/IO have reportedly investigated and verified the facts and filed a charge sheet. 


In the complaint Smt. 498a  the de facto complainant claimed that she had given a sum of 
Rs. 1,00,000 as dowry and  purportedly given to me during the marriage ceremony held on date  @ 498a marriage. The IO/SHO have reportedly investigated and verified the facts and filed a charge sheet with the memo of evidence these are part of your station records.  In your memo of evidence you have further affirmed and testified to a court of law to the fact of giving and taking of dowry and its related abetments by the concerned and named offenders.


In this connection it is submitted for you kind information that “dowry giving and its abetment” is a cognizable offence U/s 3 of DP Act, 1961. I need not emphasize or over state this aspect as your station authourities are not only well versed with penal code in general and specific case detail in particular. 


CAUSE OF ACTION
The cause of action for this Petition arose on ??????, when the respondent
            
JURISDICTION
The Petitioner as well as the Respondent were residing at ??????,   when the cause of action arose and thus this Hon’ble Court has jurisdiction to try and adjudicate this Petition.

VALUATION
The Petitioner is paying a court fee of Rs. 10/- which is sufficient as per the Act.

PRAYER
It is, therefore, prayed that your honour may be pleased direct the 498a Bench Police Station to take cognizance of the offence (s) against the accused  person(s) [498a FIL, MIL, BIL, SIL] and register FIR and they may be summoned to face the trial
.


Place: ??????                                 
Date:??????                                                                            Complainant

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