Wednesday, October 16, 2024

Adjournment Petition in DRT

 

Before the Hon’ble Debts Recovery Tribunal Kolkata – 3,

9th Floor, JeevanSudha Building, 42-C, JawaharLal Nehru Road, Kolkata – 700071

                                                          Case No.: OA/97/2010

                                                          In the matter of ;

                                                          Bank of Baroda,

                                                                             ____________Applicant

-      Versus –

Dulal Chandra Naskar and Others,

                   __________Defendants

Petition for Adjournment;

The humble Petition on behalf of the Defendant Dulal Chandra Naskar, most respectfully;

Sheweth as under;

1.   That the Defendant no.1, is in receipt of the Notice given by the Learned Advocate of the applicant about the services of a copy of the amended petition. The said notice has never been with any copy of the Original Application along-with all annexures thereof. Therefore the Defendant is not able to prepare his Written Statement/ additional Written Statement being reply on the said Original Application. The defendant seeks a copy of the Original Application along-with all annexures, as to enable himself to prepare his reply & to put comments on the statements made therein as well as to put comments on the documents relied on by the applicant.

 

2.   That unless the Hon’ble Tribunal adjourn the above referred suit for even day and to direct the applicant to serve a copy of the said Original Application along-with all annexures, to the Defendant, herein, the Defendant will highly prejudice and suffer with irreparable loss and injury, thereof.

 

3.   That the preponderance of balance of convenience & inconvenience are in favour of the Defendant and the applicant will not prejudice.

 

4.   That this application is made bonafide and in the interest of administration of justice.

 

It is therefore prayed that your Honour would graciously be pleased to allow this application and to adjourn the suit in the interest of administration of Justice, and /or to pass such other necessary order or orders, as your Honour may deem, fit, and proper for the end of Justice.

And for this act of kindness, the Petitioner, as in duty bound shall ever pray.

Verification

I, Dulal Chandra Naskar, being the Defendant, herein, made this petition for a copy of the Original Application along-with all annexures, in the above referred case matter. I am acquainted and conversant with the material facts of the Case. I Verify & sign this Petition on this _______the day of March’ 2024;

 

 

 

 

 

 

 

 

 

 

 

AFFIDAVIT

I, Dulal Chandra Naskar, Son of Late Lalit Mohan Naskar, aged about _______years, by faith Hindu, by Occupation Business, residing at Village – Tegharia, Post Office – Ramkrishna Pally, Police Station – Sonarpur, Kolkata 700150, District – South 24 Parganas, do hereby solemnly affirm and says as follows;

1.   That I am acquainted & conversant with the material facts of the referred case matter. I am competent to swear this affidavit.

 

2.   That the contents of the Paragraph no. 1, is true to my knowledge and belief, and the rests are my humble submissions before the Hon’ble Tribunal.

The statements are true to my knowledge and belief and no part whereof has ever been concealed by me.

 

 

DEPONENT

Identified by me,

 

Advocate

Prepared in my Chamber,

 

Advocate

Date : ______day of March’ 2024;

Place : Kolkata, West Bengal

 

N O T A R Y

 

No comments:

Post a Comment