To
Station House Officer
Police Station, Kekri
District Ajmer, Rajasthan
SUBJECT: Offences under Section 350, 499, 506, 383 IPC
Sir
I Bhupendra Singh aged 32 years is resident of village Kanoj Tehsil- Kekri,
District Ajmer, Rajasthan, that My Marriage was solemnized on 10/02/2015
with Vishnu Kanwar as known as Rinku Kanwar (hereinafter referred as my
wife) who was resident of Arjunpura, District, Ajmer and started living with
me at Kanoj as my wife.
That subsequent to the marriage I learnt that my wife is not mentally fit as
her behavior was not normal, I was continuously tortured by her for two
years, and my marriage with her has irretrievably broken down due to her
mental illness, she while staying with me never allowed me to live peacefully
in my house, I got her treated by Psychiatrists on various occasions but the
treatment failed as a result of her not taking the medicines.
That on __/__/____ she abused my father and threatened him of
committing suicide if he failed to transfer property in her name, to this my
father Sh. Dalpat Singh Ji lodged written complaint in Police Station, Kekri
against her but the same was withdrawn on account of her promise, to not
do the same again. Due to illness of my wife she is not able to live a normal
marital life and every act of her is cruel, her parents have refused to help
me in this aspect as they say that she is your responsibility and we cannot
do anything.
That after giving best efforts to save the marriage I on __/__/2016 filed
Divorce petition on the ground of cruelty against my wife which is still
pending, on coming to know the fact of divorce my wife in order to take
revenge against me lodged False FIR under Section 498-A, 406 IPC, filed
Section 12 application under Domestic Violence Act and implicated all
members of my family in the FIR as accused, due to such atrocities my
family is not able to reside in my own house peacefully, my wife without any
authority also applied for getting the electricity connection of our ancestral
house in her name, she is not mentally fit and by taking advantage of being
a woman is harassing me and my family continuously right from the day of
our marriage. She has the possession of the whole House and keeps the
house locked whenever she goes out of the house, she is in illegal
possession of the house and when anyone from the family tries to get in the
house she goes to the Police station stating that I have Court order and this
is my house and only I am allowed to reside in the same, the Police is also
not helping me to get the possession of the house and are pressuring me to
forcefully reside with her, which is not possible for me as she is not mentally
fit.
That on 24th July I somehow was able to get some of my belongings from
the house as I apprehended that my wife will sell/take away my belongings
and after taking out some of my belongings, I locked the house and left the
keys at the place from where my wife could have taken it easily, on coming
to know about this, my wife went to the Police station complaining that I
have committed theft, it is a sorry state of affair that the Police authorities
are prejudiced towards me and have made up their mind to lodge criminal
case against me for theft, whereas, I only entered my own house and got
my belongings from there which in no case can be considered as theft under
any law prevalent.
PRAYER
Therefore, it is humbly prayed from your honor to prohibit my wife from
entering upon my house and also direct her to vacate our house peacefully.
HUMBLE APPLICANT/COMPLAINANT
Bhupendra Singh
Resident of -
Village Kanoj,
District Ajmer
List of Legal documents
1. Application for not granting electricity connection by Devraj
Singh ji
2. Divorce petition
3. F.I.R under section 498-A
4. Application Section 12 D.V. Act
5. Recordings of cruel behavior already submitted in
Court/Police station
6. Photographs showing possession
7. Written compliant by Sh. Dalpat Singh ji
8. Medical prescriptions of mental illness
9. Stay on land (Revenue department).
To
Station House Officer
Police Station, Kekri
District Ajmer, Rajasthan
SUBJECT: Offences under Section 350, 499, 506, 383 IPC
Sir
I Balwant Singh S/o Sh. Sajjan Singh ji is resident of Village Kanoj, tehsil-
kekri, District – Ajmer and is the applicant who submits as under-
That I am the resident of the afore captioned place where I live with my
family members including my elder brother’s families, we were peacefully
living in our house over the years, my nephew Sh. Bupendra Singh who was
given portion of the house to live in by my elder brother Sh. Devraj Singh Ji,
after the marriage of my nephew that is from 10/02/2015 my nephew’s wife
started residing with all of us.
That subsequent to the marriage of my nephew, his wife started creating
problems for my nephew as well as against all the family members due to
her mental illness, it became impossible for my nephew to reside with her
peacefully as she also lodged false criminal complaints against him as well as
the whole family, she has illegally acquired considerable portion of our house
and is residing there presently.
That my family is not able to live peacefully due to her mental behavior
comprising of acts like abusing, threats of lodging false criminal cases
against me and my family, she being an advocate as well as a woman is
taking undue advantage against the male members of the family, she being
already in possession of the house wants all of us to vacate it, so that she
can transfer our property in her name and to get the property vacated by us
she everyday tortures us by using criminal force against us and also threats
us that if we do not vacate the premise she will commit suicide or lodge
criminal case against my family, that I have previously intimidated the Police
on 23/07/2017 about inhuman and cruel acts of her, however, nothing
positive took place. That my nephew’s wife also threatens me by saying that
“I will spoil your son’s life”, therefore, in compelling circumstances, I am
before Your Honor to take necessary punitive action against her.
HUMBLE APPLICANT/COMPLAINANT
BALWANT SINGH
S/O SH. Sajjan Singh Ji
R/o Village Kanoj
District Ajmer (Raj)
To
Station House Officer
Police Station, Kekri
District Ajmer, Rajasthan
SUBJECT: Offences under Section 350, 499, 506, 383 IPC
Sir
I Devraj Singh S/O Sh. Sajjan Singh is resident of village Kanoj, presently
residing in Kekri, District – Ajmer, Rajasthan, I after having no other remedy
against atrocities committed by my nephew’s wife against me and my
family, whose name is Vishnu Kanwar resident of Villlage Kanoj, Tehsil-
Kekri, District-Ajmer (Rajasthan), therefore is before Your honor and most
respectfully submits as under-
That I was residing peacefully at the above captioned address for a long
period till the time my nephew got married and his wife started living with
us, my nephew and his wife have estranged relations due to lodging of
criminal complaints by his wife against him and also due to her mental
illness because of which it is impossible for my nephew to live with her, that
my nephew’s wife continuously threats me to transfer my house in her name
and also states that if I don’t do the same she will commit suicide and I will
be kept in jail.
That due to the abnormal behavior of my nephew’s wife and continuous
abuses, threats of lodging false complaints against me it has become
impossible to live peacefully as a family, my nephew’s wife also tried her
level best to get electricity connection in her name by moving application to
the electricity department against which application for not granting the
same was filed by me in reply. The intention of my nephew’s wife is mala
fide because as she intends to own my property and being an Advocate
trying her best to do the same. Despite of me moving out of the house
where my nephew’s wife is residing she continuously threatens me as well
abuses me to transfer my share of property in her name as I being the
owner of the property.
That on 24th July my nephew took some of his belongings from my portion
which has been given to him to reside by me, on doing the same my
nephew’s wife above named went to the Police authorities stating that he
committed theft and asked them to take necessary action in regard thereof,
she in the complaint before the Police authorities also mentioned my son’s
Digvijay Singh’s name along with my nephew’s name, whereas my son was
not present during the incident as well as not involved in the alleged incident
by my nephew’s wife. After suffering from such severe cruelty and atrocities
committed by my nephew’s wife I have no remedy but to approach Your
Honor.
PRAYER
It is, therefore, most humbly prayed that My Nephew’s wife be directed to
vacate the premises and be necessary punitive action in this regard be taken
by Your Honor to allow the humble respondent to reside peacefully in his
village along with his family.
HUMBLE APPLICANT/COMPLAINANT
Devraj Singh
S/o Sh. Sajjan Singh
R/o Kekri District Ajmer
Rajasthan