IN THE COURT OF SENIOR DIVISION , AT PANVEL
MARRIAGE PETITION NO. _______ OF 2025
In the matter of Divorce under Section 13(1) (i-a)
of the Hindu Marriages Act, 1955
AND
In the matter of Dissolution of Marriage
between
VICKY SHAW
And
KAJAL KUMARI
@KAJAL VICKY SHAW
Solemnized on 10/07/2024
VICKY SHAW
Age , occupation :- SERVICE
residing at :- 146 SHANTI NIWAS NETAJI
NAGAR KOLKATA 700100
Currently Residence at :-
ANCHIT TOWER SECTOR 20 ROADPALI
KALAMBOLI 410218
Mobile No. ___ ….. PETITIONER
VERSUS
KAJAL KUMARI
@KAJAL VICKY SHAW
Age ,
HOUSE NO F 415 GALI NO 6
WAZIRABAD VILLAGE DELHI 84.
……RESPONDENT
MAY IT PLEASE YOUR HONOUR:
1. The Petitioner is an Indian inhabitant, domiciled in the State of
Maharashtra. The Petitioner and the Respondent are both residing at
the above said address given in the cause title of the petition. The
Petitioner and the Respondent profess HINDU faith and continue
profess their religion. Neither party belongs to Schedule Caste or
Schedule Tribes.
2. The Petitioner then a spinster Bachelor was married to the Respondent,
then a spinster on 10/07/2024 at the venue gobra young athletic club
kolkata. The said marriage was duly solemnized as per Hindu Marriage
Act. It was a arrange marriage. Hereto annexed and marked Exhibit
“A” is the copy invitation card and marriage photo.
3. The Petitioner’s maiden name was VICKY SHAW and the
Respondent’s name is KAJAL KUMARI @KAJAL VICKY
SHAW. The Petitioner submits that there is not born out of the said
wedlock.
4. The petitioner claims that because he was the only brother and only
son in his family, everyone was ecstatic about his marriage,
welcoming his wife to Bombay with open arms, giving gifts, and
showing him a lot of love. On November 10, 2024, my wife and I got
married, and it was the happiest day of our lives. My entire family
showed my wife a lot of love.
5. The petitioner further claims that although we were married in an
arranged marriage, petitioner-respondent's family was somewhat
different from mine; respondent's were harsh and root-like, which
caused me and my family to struggle greatly on the wedding day.
They behaved quite harshly and differently from our family
because they did not greet us politely, did not speak to anyone
appropriately and saying everyone that “ HUMLOG THAGA
GAYE HAI, BHUT ACCHA LADKA MILTA” Even so, we did
not make a scene and they attempted to create a full-fledged drama
by saying many inappropriate things to my mother and sisters.
6. The petitioner then claims that for two months, our marriage was
going great, we were content, and I was taking care of her, meeting
all of her needs, feeding her well, taking her out, and generally
trying to keep her happy. During this time, there were numerous
instances in which he mistreated my mother and said hurtful things
to her, but I chose to ignore them all because I believed that this
was a new relationship and that she was taking some time to get
used to it, which is why she was reacting like. she did not do any
household chores and used to spend all of her time locked in a
room, so I assumed that this was all new to her and that she was
taking some time to get used to it. Because of this, I never spoke
to her, and up until that point, everything was going smoothly.
7. Additionally, the petitioner stated that he felt that her behavior,
manner of living, and speech, including her refusal to talk to
anyone at home, her refusal to live openly with anyone, and her
disparaging remarks about the mother, expressed her intention
from the start that she did not want to live with the petitioner after
the marriage and was only seeking a chance. When will she get a
chance? The petitioner makes a mistake and she leaves the house.
For this reason, the petitioner remained silent because he felt that
since this was a new relationship, he would have to put in extra
effort. that he was managing her with love.
8. petitioner claims that despite my best efforts to cheer me up and my
love for her, she still fights in front of me, constantly criticizes her
mother and sisters, and begs me to leave. Despite this, I try to explain
to her in a variety of loving ways, telling her that I am an only child
and, as such, I cannot be separated from my family. She used to say on
my birthday that we do not want to live in a family and Additionally,
she would constantly bother me about the need for me to distance
myself from my family. I would lovingly explain this to her, and
things would return to normal. After a while, she would argue about it
every day once more, making it quite apparent that she didn't want to
live with you or that she wanted to distance herself from your family.
This is how she used to constantly harass me.
9. After two months, I thought that her behavior toward me would
change over time, but nothing of the sort occurred. One day, my
mother got a call from a friend of mine who was my girlfriend. I had
already told my wife everything about her, but she still heard their
conversation. My wife and my mother were on the phone, and she
heard everything. After hearing that, my wife started a major argument
at home, which I gently explained to her and reiterated that he was
with me. Nothing like that occurs to anyone after marriage, and I had
already said this to you. I also calmed her down while I was telling her
all of this, and as her rage subsided, we walked out and I attempted to
reassure her, so all of these issues also vanished.
10. petitioner feel that everything was fine, that his anger had subsided,
and that he could now carry on with his normal married life?
However, there was nothing like that because the respondent had kept
all of this in her mind and was already searching for a reason to leave
him. For this reason, she tortured him daily,. Even at that point, the
petitioner wanted all of this in silence because he believed that he had
made a mistake once, which is why he was listening in that way. The
respondent had this excuse, but the petitioner had no relationship with
his ex-girlfriend and had told his wife about everything that existed
before marriage. Despite this, the petitioner would play with his wife's
anger, encourage her once more, and give her explanations and advice
on how to live a good life.
11. The respondent also stated that after two months of living with us, she
had a better understanding of my family members' personalities. Now
that she was aware of how easily these innocent individuals may be
tormented, She used to take advantage of this and would threaten to
leave the house if her husband didn't move out from under his parents'
control and transfer all of the house's assets into her name. Because of
this, she used to torment him constantly, telling him that she was the
mistress of the house and that everything would only occur if she
made the final decision. The only people who should visit the
residence are the relatives she will tell. Refrain from speaking to your
parents or sister, and avoid interacting with anyone else. Thus, she
began.
12. In addition, the petitioner claims that she had begun to control the
house in numerous other ways, including by talking to my mother in a
very cold-hearted manner and preventing my sisters' calls and my
relatives from visiting. In this way, he had taken over the entire house,
making it seem as though no one paid attention to her or took any
action. If we refused to do anything, she would directly threaten to
leave the house and tell everyone that you had a ex-girlfriend,
torturing him in the process. Out of fear of being slander, the
petitioner remained silent and did not want to disrupt his married
home.
13. The petitioner also claims that after all of this, the mother of the
petition respondent and his sister visited my home one day and told
me that if you wanted our daughter to remain there, then transfer all of
your property into my daughter's name; if not, my daughter would
leave. This is how they spoke to my petitioner's mother, and upon
hearing it, my family and I were shocked to learn that they had already
planned all of this and that they had married me solely for my
property.
14. Petitioner also say that , petitioner’s mother has been a patient of
rheumatoid arthritis form the past eleven years. When she had to go
for treatment, respondent used to control even that and claim that
everything was a drama and that she was wasting money and wasn't
sick at all. respondent also used to abuse my mother and humiliate her
in every way, and respondent had a lot of control over the money at
home, deciding where it would be spent and where it wouldn't be.
respondent used to say things like this.
15. In addition, the Petitioner mentioned that he had an unmarried younger
sister who lives with them. She made numerous attempts to put her
hand up to her. She used to speak to her in a very negative manner and
mislead her. She has also made numerous attempts to put her hand up
to her.
16. The respondent Kajal then phoned her parents and eight other family
members on November 26, 2024, and abruptly began yelling and
screaming and abusing me, my family, my sisters, and my mother. She
then shoved them, packed her suitcase, and departed the house.
17. According to the petition, she took all of the money and jewellery
Petitioner had received when she got married, along with the keys to
my cupboard and all of my important documents, with her when she
left. You were so furious that you called your parents and relatives,
packed your backpack, and left the house without any problem
18. Petitioner state that , Respondent offended Petitioner by complaining
about Petitioner in a gathering of our religion and telling my religion
committee all the bad things about Petitioner as Respondent was
leaving.
19. Petitioner state that, Intentionally, it appears that everything she did
was done for financial gain. Petitioner had numerous meetings and
counseling sessions with her, tried to speak with her on numerous
occasions, and called her back home, but each time she insulted my
family and me and was taken off the waiting list. Her only requirement
was that whatever belonged to her, do it in my name, and I would
come to you; otherwise, I would not come.
20. Petitioner state that ,they met multiple times throughout the final
examinations, and despite everything, Petitioner just received insults.
respondent sole condition is that you move out of the house and put
everything in my name it difficult to adjust as a result of these
discrepancies. Petitioner a now filing for divorce because Petitioner
believe it would be best for us to part ways
21. The Petitioner states that the Respondent has been continuously
abusing the Petitioner. This tendency on the part of the
Respondent has been a great source of suffering and cruelty for
the Petitioner. It is no longer safe or possible for the Petitioner to
continue to live with the Respondent. The Respondent has
subjected the Petitioner to the various acts of neglect and
inhumane, extreme, ruthless, mental cruelty which has prompted
the Petitioner to approach this Court as and by this Petition. The
Petitioner has not in any manner condoned the acts of cruelty at
the hands of Respondent, as complained of in the present petition.
The Petitioner states that the cruelty committed upon her is beyond
her bearing capacity. The Respondent has made her life dreadful.
22. The Petitioner states the Petitioner is are presently residing in the
cause title of the Petition, kalamboli navi Mumbai , which is within
the jurisdiction of this Honorable Court, therefore this Court has
the jurisdiction to entertain and try this Petition.
23. The Petitioner states that this Petition is filed within time. There is
no delay in filing this Petition.
24. The Petitioner craves leave to refer to rely upon the evidence at
the time of hearing.
25. The Petitioner crave leave of the Honorable court to add, alter,
amend and/or delete any of the grounds/averments of this Petition.
26. There has not been any unnecessary or improper delay in filing
this Petition.
27. The Petitioner states that there is no collusion or connivance
between the parties.
28. The Petitioner has paid appropriate fees as required in law.
29. The Petitioner states that there are no proceedings pending with
respect to present subject matter before the High Court or Supreme
Court or any other court in India between the parties.
30. The Petitioner will rely on the list of documents a list of which is
annexed hereto.
31. Under the circumstances the Petitioner prays that: -
a. This Honour’able Court direct that the marriage solemnized on
10/07/2024 between the Petitioner and Respondent be dissolved by a
Decree of Divorce under Section 13 (1) (i-a) of Hindu Marriage Act
1955.
b. Any other relief as this Honourable Court deems fit and proper.
c. The Petitioner be permitted to amend and alter this Petition.
Place: panvel ,
Date:
PETITIONER
VICKY SHAW
VERIFICATION
I VICKY SHAW , Hindu, Indian Inhabitant, Aged about , Occ: service
, Residence of, 146 SHANTI NIWAS NETAJI NAGAR KOLKATA
700100. Currently Residence at ANCHIT TOWER SECTOR 20 ROADPALI
KALAMBOLI 410218. do hereby state and declare on solemn
affirmation as Under:- do hereby state on solemn affirmation that
whatever stated hereinabove in this Affidavit are true and correct to
the best of my own knowledge and believe and I believe the same to
be true.
Solemnly affirmed at Panvel
Dated:-
Deponent
Explained and Identified by me,