58 58 Ramesh Divorce Notice

August 23, 2022 | Author: Anonymous | Category: N/A
Share Embed Donate


Short Description

Download 58 58 Ramesh Divorce Notice...

Description

 

 

To, SMT. ____________________ W/o ____________________ D/o _________________________ Aged about __________ years, _____________________HALLI _________________ HOBLI ____________________TALUK

Under the instructions from our client _______________________________________________________, the following notic notice e is issued to you:

Sri

1. Our client instructs us to inform you that, you are legally wedded wife of our client and the marriage marriage was celebrated on 28-05-2009 & 29-05-2009. 29-05-2009. Out of the the wedlock, begot one female child yet to be named. 2. Our client submits that he hails from respectable middle class agriculture family and has come up in life with great difficulty, due to financial and other problems. He is a very principled man, with honesty, integrity and devotion to his duty. He is working as electrician. He has much more mo re responsibility towards his family members. 3. Our client instructs us to inform you that on the contrary you are from an greedy family and money is the sole criteria for you and your family members. You have no love and affection towards our client nor have social consciousness, con sciousness, public involvement. From the very beginning, you hated our client’s family members due to the reason that they are not well off financially and looked them down always and you never changed your attitude till today. 4. Our client instructs us to inform you that right from the beginning of the marital life, you picked up unnecessary quarrels for trivial issues and started harassing our client for each and every action. Our client tolerated all harassments meted out to him by you and your family members with the fond of hope that you will improve your attitude towards our client on one day or other. However your attitude never improved till today. 5. Our client instructs us to inform you that you never discharged the duties of dutiful wife with our client and dutiful daughter- in- law towards our client’s family. Further you have always prevented our client from freely talking with his mother and restrained him from having any attachments with his mother, as you never liked them. This action of yours has caused mental agony and harassment to our client. This attitude of yours is not definitely in the interest of our client and the welfare of his family members. 6. Further you never liked our client and his mother to love the child, never showed respect and treated them with dignity. Further you have abused them with filthy language.

 

7. From the beginning of marital life you had lust for money and always forced, induced and compelled our client to make money unlawfully and always compelled him to make properties beyond his lawful source of income. Our client known for his honesty, sincerity and integrity, never obliged your unlawful demands and never headed to such unlawful demands. Your illegal demands, has caused menta mentall torture to our client and has substantially substantially affected his health. Further you have harassed our client by teasing our client before relatives and friends, that our client has not made any properties to you though he has provided comforts to you. 8. Our client instructs us to inform you that, that, on many occasions your father father and one person named Srinivas s/o venkataramaiah and other relatives have ones beaten my client when he came to your house to take take you and your child and are blackmailing my cli client ent and his family to file false cases, and many times you have been taken away from home without having consent of my client. 9. Our client instructs us to inform you that More so you never liked to return after three months of maternity stay in your fathers home and does not come to my clients home from two months and lead marital marital life and obligation with our client and the same ha hass caused irreparable mental agony to our client and he is deprived of the love and affection of the children. This has amounted to the mental cruelty to our client. c lient. 10. Even at home before you gone to delivery, you always picked up quarrels on silly things and never let our client to live happily. Our client tolerated all the harassment meted out to him, by you, with the fond of hope that you would adjust for the marital life. But you never improved your attitude towards our client till today. You are a short-tempered woman and your movements are unpredicted and you used to withdraw from the society of our client for no reasons. 11. Our client instructs to inform you that you always wanted luxurious life without bothering about our client’s income and further our client instructs us to inform you that you always wanted to to live in a luxurious house, house, which is beyond the reach of our our client. This amounts to mental cruelty, which has has adverse impact on our client’s health. B.P., headache, heart pain, etc., are off shoot of such harassment meted out to our client with deterioration of his health day by day. In spite of all these harassments, he is devoted to his duty and has all the love for his child. 12. Several panchayats conveyed by our client, went in vain and you never changed your attitude till today. 13. Our client ones gives you final chance to come and join with him within 15 days from the receipt of this notice failing which, my client will be constrained to take appropriate legal step against you holding you responsible for all costs and consequences. 14. Hence please note that if you fa fail il to respond to our client he would institute the case for restitution of conjugal rights or divorce proceedings on the grounds of cruelty etc., before the competent court of law.

Date: PLACE

Advocate

 

 

7676506881

View more...

Comments

Copyright ©2017 KUPDF Inc.
SUPPORT KUPDF