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Registered A.D.
..........................................
Advocate
..........................................
..........................................
Date ...................................
TO,
..........................................
.......................................
.........................................
Dear Sir,
pay the sum of Rs. ........... borrowed by you from the said ................ on
............... on a promissory note dated ............ together with all interest due in
respect hereof on the date of payment, failing which, 1 have instructions to file
a suit for recovery of the amount due with interest and costs without any
Advocate
NOTICE TO PAY MORTGAGE MONEY
................................
Advocate
................................
................................
Date .........................
TO,
Shri .......................
.............................
.............................
Dear Sir,
Under instructions from my client Shri X, I have to call upon you to pay
the principal amount together with interest due on the deed of mortgage dated
the ONE PART and the said X of the OTHER PART, which has become due
failing which, I have the instructions to file a suit against you for foreclosure of
.......................
Advocate
Notice by Landlord to Tenant for Demand of Possession of House after Expiry of Lease Period
Registered A.D.
Date............................
To,
Mr. ...................................
.........................................
Dear Sir,
Under instructions from my client Mrs. X wife of Mr. X. resident of................................... owner of the
house bearing No........................................................... I hereby give you notice that the lease deed
dated......................... made between my client of the FIRST PART and you on the OTHER PART in
respect of premises No.......................................... (Hereinafter referred to as demised premises), has
expired by efflux of time on the.............. day of..............., 200-, and I hereby call upon you to quit, vacate
and deliver quiet and peaceful possession of the demised premises on or before the....................... day
of......................, 200, failing which my client may file a suit against you for recovery of possession of the
demised premises and for damages, which may be sustained by her by reason of your willfully retaining
possession thereof and for breach by you of the covenants contained in the lease deed.
Yours sincerely
Adv. ABC
Notice to Pay Mortgage Money
Date .........................
To,
Mr. .......................
.............................
Dear Sir,
Under instructions from my client Mr. X, I call upon you to pay the principal amount together with interest
due on the deed of mortgage dated ....................... 200, made between yourself of the PART ONE and
the said Mr. X of the OTHER PART, which has become due and repayable to the said Mr. X on
the....................... day of......................, 2000, failing which, I have the instructions to file a suit against you
for foreclosure of the mortgage property.
Yours sincerely
.......................
Advocate
NOTICE OF DISSOLUTION OF PARTNERSHIP
subsisting between the undersigned and A, etc. and B, etc. carrying on the
.............,2000.
Sd/-
NOTICE UNDER SECTION 80, CODE 0F CIVIL PROCEDURE
...................................
Advocate
...................................
...................................
Date ............................
TO,
Shri ........................
Medical Superintendent,
....................... Hospital,
.......................
Dear Sir,
....................... Hospital . ....................... and you were also the Head of the
under your care and supervision and ................ was fixed the date of
3. When the said Shri ................ was being operated, you were personally
present in the operation theatre and doing the operation with the
negligently, carelessly and willfully left a big piece of cotton inside the
kidneys for which you had prescribed some antibiotics on various visits.
5. When my client could not get treatment for his pain, he went to
.................. who opined that there is some foreign element around the
Nursing Home and a piece of cotton was removed from inside the body
and after the removal of the cotton, my client had got relief from pain.
6. My client Shri ....................... had to undergo physical and mental suffering
had to spend lot of money for treatment of pain, which was caused due to
leaving the piece of cotton inside the body by you, while undertaking
7. The said ................ therefore demands from you Rs. .............. as damages
incurred by him in transport, hotel, etc. totaling Rs. ........... and I hereby
give you notice that if the said amount is not paid, the said .......................
will, on the expiry of two months from the date of service of this notice, file
a suit against you for the recovery of Rs. ............... as damages and
consequences.
Yours faithfully,
.......................
Advocate
NOTICE BY LANDLORD TO TENANT FOR DEMAND OF POSSESSION OF
Registered A.D.
AB
Advocate,
High Court
...................................
...................................
Date ............................
Shri ...................................
.........................................
Dear Sir,
deed dated ......................... made between my client of the ONE PART and
expired by efflux of time on the .............. day of ..............., 2000, and I hereby
call upon you to quit, vacate and deliver quiet and peaceful possession of the
demised premises on or before the ....................... day of ......................, 2000,
failing which my client will file a suit against you for recovery of possession of
the demised premises and for damages, which may be sustained by her by
reason of your willfully retaining possession thereof and for breach by you of
Yours faithfully
AB
Advocate