An application on behalf of the Petitioner seeking condonation of delay in refiling before the Hon'ble Supreme Court of india

IN THE SUPREME COURT OF INDIA

CIVIL APPELLATE JURISDICTION

I.A. No._________of 20__

IN

SPECIAL LEAVE PETITION (CIVIL) NO. OF 20__

 

IN THE MATTER OF:

___________                                                     …Petitioner

VERSUS

____________                                                 …Respondents

INDEX

S.No.

                Particulars

Page No.

1.

An application on behalf of the Petitioner seeking condonation of delay in refiling

 

 

  IN THE SUPREME COURT OF INDIA

CIVIL APPELLATE JURISDICTION

I.A. No._________of 20__

IN

SPECIAL LEAVE PETITION (CIVIL) NO. OF 20__

 

IN THE MATTER OF:

____________                                                     …Petitioner

 VERSUS

 ____________                                                 …Respondents

AN APPLICATION SEEKING CONDONATION OF DELAY IN REFILING OF THE PRESENT SPECIAL LEAVE PETITION

TO,

THE HON’BLE CHIEF JUSTICE OF INDIA AND HIS COMPANION JUSTICES OF THE HON’BLE SUPREME COURT OF INDIA.

THE HUMBLE PETITION OF THE PETITIONER ABOVE NAMED.

MOST RESPECTFULLY SHOWETH

1. This Special Leave Petition is directed against the judgment and final order dated _____ passed by the Hon’ble High Court _____whereby the said appeal preferred by the petitioner was dismissed. The contents of same are not being repeated herein for the sake of brevity and the same may kindly be read as part and parcel of the present application.

2. That it took some time for the petitioner to collect and translate the relevant documents which are essential for the proper adjudication of the present matter. The collection and translation of such voluminous documents pertaining to the present case led to the unforeseen delay. Hence there was delay in refiling the present special leave petition.

3.    That there has been no intentional or deliberate delay on the part of the petitioner.

4.    It is humbly submitted that the petitioner has a good case on merits and it is prayed that the technicalities should not be allowed the defeat the cause of the justice.

5.    That the petitioner shall suffer irreparable injury in case the delay is not condoned.

PRAYER

It is, therefore, most respectfully, prayed that this Hon’ble Court may kindly be pleased to:-

(a)     Condone the delay of ______ days in refiling the present petition.

(b)    Pass any other order as this Hon’ble Court may deem fit in the facts and circumstances of the case.

AND FOR THIS ACT OF KINDNESS THE PETITIONER AS IN DUTY BOUND SHALL EVER PRAY. 

Filed by


                                                                                            Advocate for the Petitioner

Place: New Delhi.

Dated: