In the Court of ____, M.A.C.T., _____
____ Versus ______
Claim Petition Under Section __ of the Motor Vehicle Act for grant of Compensation of ____/-
Application for deleting the name of the applicant impleaded as the respondent No.2 and inserting the actual registered owner of the vehicle ____
Respectfully Showeth :-
1- That the above-mentioned petition is pending before this Hon’ble court and is fixed for ___.
2- That as per the FIR No. ___ dated ____ this accident took place on ____ but the complainant ___ S/o, W/o of ___ told the name of the applicant as owner of the above said ___ to the Police.
3- That the applicant had sold the said ___ to ___ son of _____________, resident of House No. _________, ___ on ____ and to this effect the applicant as well as said purchased signed and executed a Cash receipt, delivery receipt and other relevant documents in respect of transfer of the said vehicle. The copies of cash receipt and deliberately receipts are enclosed herewith. The applicant handed over the physical possession of the ___ to the said purchaser on the same day and since then the said purchaser is the registered owner of the said ___. Therefore, at the time of alleged accident neither the applicant was registered owner nor in possession of the said vehicle. Hence the name of the applicant is liable to be deleted and the name of ____ son of _____________, resident of House No. _____, ___ is liable to be impleaded as the respondent No.2.
It is, therefore, prayed that the name of the applicant impleaded as respondent No. 2 registered owner of the _____ may kindly be ordered to be deleted and the name of registered owner at the time of accident i.e.____ detailed above may kindly be inserted in the interest of justice.
Through counsel :
_____, Advocate, _____
____ Versus ______
Claim Petition Under Section __ of the Motor Vehicle Act for grant of Compensation of ____/-
Application for deleting the name of the applicant impleaded as the respondent No.2 and inserting the actual registered owner of the vehicle ____
Respectfully Showeth :-
1- That the above-mentioned petition is pending before this Hon’ble court and is fixed for ___.
2- That as per the FIR No. ___ dated ____ this accident took place on ____ but the complainant ___ S/o, W/o of ___ told the name of the applicant as owner of the above said ___ to the Police.
3- That the applicant had sold the said ___ to ___ son of _____________, resident of House No. _________, ___ on ____ and to this effect the applicant as well as said purchased signed and executed a Cash receipt, delivery receipt and other relevant documents in respect of transfer of the said vehicle. The copies of cash receipt and deliberately receipts are enclosed herewith. The applicant handed over the physical possession of the ___ to the said purchaser on the same day and since then the said purchaser is the registered owner of the said ___. Therefore, at the time of alleged accident neither the applicant was registered owner nor in possession of the said vehicle. Hence the name of the applicant is liable to be deleted and the name of ____ son of _____________, resident of House No. _____, ___ is liable to be impleaded as the respondent No.2.
It is, therefore, prayed that the name of the applicant impleaded as respondent No. 2 registered owner of the _____ may kindly be ordered to be deleted and the name of registered owner at the time of accident i.e.____ detailed above may kindly be inserted in the interest of justice.
Dated _______ Applicant
___ Son of ____ R/o ______
Through counsel :
_____, Advocate, _____