IN THE SUPREME COURT OF INDIA
CIVIL APPELLATE JURISDICTION
SPECIAL LEAVE PETITION (CIVIL)
NO. OF
20___
IN THE MATTER OF:
VERSUS
_________________ …Respondents
INDEX
S.No. |
Particulars |
Page No. |
1. |
An application seeking permission to be impleaded as Intervenors in the Present Special Leave Petition |
|
2. |
Annexure
A/1: List of applicants to be impleaded as intervenors in the present SLP |
|
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:
AN
APPLICATION SEEKING PERMISSION TO BE IMPLEADED AS INTERVENORS IN 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 APPLICATION OF THE APPLICANTS 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 ____in _____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.
It is humbly submitted
that the writ petitions filed by the applicants regarding the issue in
challenge before this Hon’ble in the present SLP is pending adjudication before
the Hon’ble High Court.
3.
That the present
matter in dispute affecting the rights and contentions of the applicants will
be effectively and authoritatively dealt by this Hon’ble Court in the present
Special leave petition.
4.
That the applicants
shall suffer irreparable injury in case they are not allowed as interveners in
the present SLP. The
List of applicants dated_____ to be impleaded as interveners in the present SLP is annexed herewith as Annexure A/1 (Pg.____to_____).
5.
That the applicants are _______and there has been outright violation of
the right to equality and right to livelihood of the applicants as enshrined
under Article 14 and Article 21 of the constitution of India.
6.
That the impugned action
of respondent of _____is illegal, arbitrary, and discriminatory which does not
sustain in the eyes of law and the same deserves to be quashed and set aside.
7.
It is humbly submitted
that the applicants has a good case on merits and it is prayed that the
technicalities should not be allowed the defeat the cause of the justice.
PRAYER
It is, therefore, most
respectfully, prayed that this Hon’ble Court may kindly be pleased to:-
(a)
Permit the applicants
to be impleaded as intervenors in the present special leave 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 APPLICANTS AS IN DUTY BOUND SHALL EVER
PRAY.
Filed by
Advocate for the Applicants
Place:
New Delhi.
Dated:
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:
AFFIDAVIT
I _____ S/o _____ R/o _____Presently at New Delhi aged about_____ , do hereby solemnly affirm and declare as under:-
1. That I am the petitioner in the present case. I am fully conversant with the facts and circumstances of the case and hence competent to swear this affidavit.
2. That the contents of the accompanying application are true and correct to the best of my knowledge and belief and nothing material has been concealed therefrom.
3. That the annexures to the
accompanying application are true copies of their respective originals.
DEPONENT
VERIFICATION
Verified on ___ day of _____
20__ that the contents of the above affidavit are true and correct to the best
of my knowledge and no part of the above affidavit is false and nothing
material has been concealed therefrom.
DEPONENT