Saturday, May 10, 2025

Demand Notice

 

 

By Registered Post / Speed Post / Ordinary Post

 

WITHOUT PREJUDICE

 

                                                                      Dated : 2nd day of May’ 2025

 

To,

 

1.   Sri Abhijit Chowdhury, Son of Chitta Ranjan Chowdhury, residing at Premises being no. G 108, Baghajatin, Police Station – Patuli, Kolkata – 700086, District South 24 Parganas.

 

2.   Sri Abhijit Chowdhury, Director of M/s. ABS Land Development & Construction Private Limited, a Private Limited Company incorporated under the Companies Act, 1956, having its Registered Office at Premises being no. 13/B, Jatin Das Road, Police Station – Tollygunge, Kolkata – 700029, West Bengal.

 

3.   M/s. ABS Land Development & Construction Private Limited, a Private Limited Company incorporated under the Companies Act, 1956, having its Registered Office at Premises being no. 13/B, Jatin Das Road, Police Station – Tollygunge, Kolkata – 700029, West Bengal.

 

Ref.: Acknowledgment of receipt of a sum of Rs. 65,000/- (Rupees Sixty Five Thousand) only, by Sri Abhijit Chowdhury, Son of Chitta Ranjan Chowdhury, residing at Premises being no. G 108, Baghajatin, Police Station – Patuli, Kolkata – 700086, District South 24 Parganas;

 

My Client : Sri Dhiraj Kumar Giri, Son of Amulya Ratan Giri, residing at Premises being no. 162, Banamali Ghosal Lane, Post Office & Police Station Behala, Kolkata – 700034, District South 24 Parganas.

 

 

Demand Notice for a sum of Rs. 65,000/- (Rupees Sixty Five Thousand) only, along with applicable interest thereon, till realization.

 

Dear Sir/s,

 

Under instructions of my Client Sri Dhiraj Kumar Giri, Son of Amulya Ratan Giri, residing at Premises being no. 162, Banamali Ghosal Lane, Post Office & Police Station Behala, Kolkata – 700034, District South 24 Parganas, do hereby states as follows;

 

 

 

1.      That on 05/11/2022, you, Sri Abhijit Chowdhury, borrowed a sum of Rs. 50,000/- (Rupees Fifty Thousand only) from my Client for your personal dire emergency, with a solemn assurance to refund the same within a period of two months from the said date.

 

2.      That again, on 24/11/2022, you approached my Client for an additional sum of Rs. 15,000/- (Rupees Fifteen Thousand only) citing urgent need, which was also advanced to you on the same assurance of repayment within two months.

 

3.      That my Client, relying upon your representations and relationship of trust, advanced the total sum of Rs. 65,000/- (Rupees Sixty-Five Thousand only) in good faith. The receipt of the said amounts has been duly acknowledged by you.

 

4.      That despite repeated oral and written requests and demands, you have failed and neglected to repay the said loan amount or any part thereof, even though the stipulated time for repayment expired long ago.

 

5.      That your continued failure to refund the said sum constitutes a breach of trust and legal obligation, and amounts to wrongful withholding of money owed to my Client.

 

6.      That my Client hereby formally demands repayment of the said sum of Rs. 65,000/- (Rupees Sixty-Five Thousand only) along with interest @ 12% per annum, calculated from the respective dates of disbursement until full realization, within 15 (fifteen) days from the date of receipt of this notice.

 

 

 

 

 

7.      Please take further notice that in the event of your failure to comply with this demand within the aforesaid time, my Client shall be constrained to initiate appropriate legal proceedings against you, including but not limited to civil suit for recovery and/or criminal complaint for cheating and breach of trust, at your sole risk, cost and consequences.

 

8.      This is your final opportunity to amicably resolve the matter and avoid the rigors of protracted litigation.

 

9.      This notice is issued without prejudice to my Clients’ rights and remedies, available under law and in equity.

Thanking you,

Yours faithfully,

 

Sanjib Saha

Advocate

High Court Calcutta

 

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