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Complaint Case 498A

Sehnaj Sultana has filed a complaint against Habib Ali and others for various offenses including domestic violence and theft, citing ongoing abuse and harassment since her marriage in August 2022. The complaint details incidents of physical and emotional torture, leading her to leave the accused's home and seek legal action. She requests the court to take cognizance of her case and proceed with legal action against the accused.
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0% found this document useful (0 votes)
47 views5 pages

Complaint Case 498A

Sehnaj Sultana has filed a complaint against Habib Ali and others for various offenses including domestic violence and theft, citing ongoing abuse and harassment since her marriage in August 2022. The complaint details incidents of physical and emotional torture, leading her to leave the accused's home and seek legal action. She requests the court to take cognizance of her case and proceed with legal action against the accused.
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IN THE COURT OF S.D.J.

M , AT RANGIA, KAMRUP ( ASSAM)

C.R Case No / 2023.

Sehnaj Sultana,
Age about:
Sex: Female
By religion: Islam,
Daughter of Manir Ali,
Vill: Septi,
P.O & P.S : Rangia,
Dist: Kamrup(Assam)
Pin:781354,
M.No:8638343781
…….Complinant
-Vs-
1.Habib Ali,
Son of Mukul Ali,
2.Mukul Ali,
3. Mina Begum,
Wife of Mukul Ali,
All are resident of Brick Field Railway Colony,
Rangia,P.O & P.S : Rangia,
Dist: Kamrup(Assam)
Pin:781354.
……. Accused
Cause of Action : 05-08-2002,12-02-2022,26-02-
2022,01-03-2022

Offence : Under Sec 498(A) )/509/379(A)/506/34


I.P.C.

MOST RESPECTFULLY SHEWETH:

1. That the complainant is the permanent resident of Village – Septi , P.S –


Rangia in the District of Kamrup( rural)Assam.
2. That the marriage of the complainant with the accused no.1 was solemnized
marriage as per the Islamic rites and ceremonies on 05-08-2022.

1. That after some days of marriage the all the accused persons always taunted
the complainant in a small reasons ,that her parents had not given dowry as per
their status and they had married their son in the family of beggars. That accused
no, 2 & 3 always instigated accused no 1 to abuse, beat and humiliate the
complainant. The complainant tolerated the cruel and uncivilized behaviour of the
accused persons only in the hope that one day better sense would prevail upon her
and his family and with the passage of the time, they would mend themselves but
behaviour and conduct of the accused persons and his family kept on becoming
unpleasant, cruel and humiliating with the passage of time. The accused persons
started compelling and harassing the complainant
2. That many a time, parents and relatives of the complainant had intervened to
make the accused persons understand his responsibities and to behave properly with
the complainant but the accused persons never took them seriously and did not
change his rude and unpleasant behaviour with the complainant.
3. That on 12-02-2022 the accused persons again started physical torture,and
due to untolerable torture of accused persons above said complainant left the house
of accused persons and started to stay with her parents.
4. That 26-02-2022 , when she went with her father to do market, then on
suddenly , above named accused no, 1 & 2 came on a car and tried to bring her on
car forcefully .They also snatched her gold chain .That above named accused
persons also threatened her through slang language.
5. After that above said complainant with her father came before Rangia Police
station and filed an Ejahar . Accordingly a case was registered , vide Rny P.S G.D.E
No : 063/3/22 and Rangia P.S case No 162/22 , U/S 498(A)/509/379(A)/506/34
IPC . but after investigation , concern I/O submitted F.R before your hon’ble court .
6. That present complainant/victim/informant of this case is not satisfied with
the investigation of the I/O of this case .
7. The petitioner herein being the Victim/Informant in the subject FIR Case is
preferring the present Application seeking directions to take cognizance of present
informant/victim and may continue this present case as complainant

Witnesses below will prove the case of complainant.


It is therefore , prayed that your honour
would be pleased to take cognizance and
issue process against the accused under
sec 498(A)/509/379(A)/506/34 I.P.C and
after appearance of the accused, try the
accused and punish him in accordance with
law , and /or pass such other order/orders
as your Honour may deem fit and proper.
And for this act of kindness, the humble
complainant as in duty bound shall ever
pray.

List of witnesses:-
1.Complainant himself.

2.Manir Ali

3.
List of Documents enclosed herewith :-

1. Copy of F.I.R,
2. Copy of Ejahar

V E R I F I C A T I O N

I Sehnaj Sultana,age about…………. Yrs, daughter of


Manir Ali, resident of Vill: Septi,P.O : Rangia,P.S :
Rangia,Dist: Kamrup( Assam) the complainant in the
instant case do hereby solemnly affirm and state that
the statements made in paragraph above of the
complaint petition are true to my knowledge and belief.

And I sign this Verification on this the ….. day of


………………..,2023 at Rangia.

SIGNATURE
BEFORE THE NOTARY PUBLIC RANGIA, KAMRUP(ASSAM)
AFFIDAVIT
I Sehnaj Sultana,age about…………. Yrs, daughter of Manir
Ali, resident of Vill: Septi,P.O : Rangia,P.S : Rangia,Dist:
Kamrup( Assam) do hereby solemnly affirm and declare as
follows/
1. That, I am the complainat in the instant complaint petition
and I am well acquainted with the facts and circumstances of
this present case and as such, I am competent to swear this
affidavit.
2. That, the statements made in Para above of the complaint
petition are true to my knowledge and the rests are my humble
submissions made before this Hon’ble Court.
3. that the contents of above petition have been read over to me by
my counsel in Assamese which are true to best of my knowledge
and belief.
4. That, the statements made in Para 1 ,2 & 3 of this affidavit
are true to the best of my knowledge and belief and nothing
has been concealed herein.
OATH
“I swear that this my declaration is true, that it conceals
nothing, and that no part of it is false, so help me God”

And I sign this affidavit on this the…….. day of ……..,


…………..at Rangia.

Deponent

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