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IN THE COURT OF ADDITIONAL DISTRICT JUDGE OF

HOOGHLY AT CHANDANNAGAR
Matrimonial Suit No. of 2021

Petitioner no -1 Petitioner no-2

KOUSHIK SAHA PUJA SAHA

Fixed Court Fees paid herewith.


IN THE COURT OF ADDITIONAL DISTRICT JUDGE, HOOGHLY AT
CHANDANNAGAR
Matrimonial Suit No. of 2021

IN THE MATTER OF :-

A Petition U/S 13-B of Hindu Marriage Act, 1955 for a


Decree of Divorce on mutual consent.

AND

IN THE MATTER OF :-

KOUSHIK SAHA, S/O- Nityananda Saha, Aged about-


Photo of 32 yrs, By Religion – Hindu, By Occupation- Business,
Husband Resident of Vill. – 2 No Mahadanga Colony, P.O + P.S-
with Chandannagar, Dist.- Hooghly (712 410).
Signature
………The Petitioner No. -1(Husband)

AND

IN THE MATTER OF :-

PUJA SAHA, W/O- Koushik Saha, D/O- Bablu Haldar,


Photo of aged about- 25 yrs, By Religion –Hindu ,By
Wife with Occupation- House hold duties, At present residing at
Signature C/O Father: Bablu Haldar, Vill- Rabindranagar,
Paschim Para, P.O + P.S- Chinsurah, Dist.- Hooghly (712
101).

……The Petitioner No. -2 / Co-Petitioner (Wife)

The Humble petition of the above named petitioners,

MOST RESPECTFULLY SHEWETH:-

1. That, at all material times the present petitioners are governed and guided by
Dayabhaga School of Hindu Law in as much as they are Hindu by Religion.

2. That, the petitioners No-1 & 2 are husband and wife by relation as their
marriage was solemnized on 13/03/2017, without any exchange of any dowry
demand, at the paternal house of the petitioner No-2 at Vill- Rabindranagar, Paschim
Para, P.O + P.S- Chinsurah, Dist.- Hooghly (712 101), according to Hindu reties and
religion, by performing all Hindu marriage formalities. And after marriage, both parties
started residing as husband and wife at the house of petitioner No-1 at 2 No
Mahadanga Colony, P.O + P.S- Chandannagar, Dist.- Hooghly (712 410).

CONT…
//2//

3. That, after the marriage the petitioners resided together as husband and wife
and their marriage was duly consummated and very soon it was found that the
temperaments, thoughts, taste, habits and ways of life of the petitioners were different
and in spite of their best efforts owing to incompatibility of temperaments between
them, they could not pull on well in their matrimonial life which became unbearable
day by day .

4. That, due to want of adjustment and cropping up of dispute and difference in


different matters and domestic affairs between the petitioners there is no chance for
living together as husband and wife and leading marital life and Conjugal Right at the
matrimonial home any further in future . And so many times all family members and
well wishers of both family, tried to compromise their problems but they failed each and
every time.

5. That, your petitioners lastly resided jointly till 23/08/2020 at the matrimonial
home of the petitioner No-2 at Vill. – 2 No Mahadanga Colony, P.O + P.S-
Chandannagar, Dist.- Hooghly (712 410), within the local limits of Jurisdiction of
this Ld. Court.

6. That, the petitioners have been living separately for a period of more than one
year and due to their wedlock no child was born.

7. That, both the petitioners out of their free will and accord have been living
separately and/or separated themselves on and from 23/08/2020 without having any
cohabitation, at their respective addresses till now.

8. That, the petitioners and their nearest relations, well-wishers also tried their level
best to make an adjustment between them but all sorts of efforts are in vain and till to
date it could not be possible due to want of adjustment and sweet relation between the
petitioners according to their status, dignity, standard of living, and proven personality
of each other.

9. That, finally to avoid such strained relationship and grave situation both
the petitioners have AGREED AND DECIDED MUTUALLY TO DISSOLVE THEIR
MARRIAGE solemnized on , 13/03/2017, by a Degree of divorce U/S: 13-B of H.M.
Act 1955, by mutual consent.

10. That, there is no collusion between the petitioners in presenting this petition and
the mutual consent has not been obtained by force, fraud, or undue influence and they
have not filled any petition or Decree of Divorce before any Ld. Court earlier.

CONT…PAGE
///3///

11. That, the cause of action of the suit arrows on and from 23/08/2020 when the
petitioners started living separately at their respective fathers house in as much as
when the petitioner No .2 started to live separately at her father’s house.

12. That each of the petitioners did not file any application praying for decree or any
other application for judicial separation before any Court of Law prior to filing this
case.

13. That, for the purpose of the Jurisdiction and court fees, the fixed Court Fees is
paid herewith.

Under the aforesaid facts and circumstances your


petitioners humbly and jointly pray that your Honor
may graciously be pleased to pass an order in
dissolving the marriage solemnized between them on
13/03/2017, by a degree of Divorce U/S- 13B of
Hindu Marriage Act 1955 by mutual consent and any
other relief/reliefs to which the petitioners are entitled
under law and equity.

And for which, the act of Kindness your petitioners are as in duty bound shall ever
pray.
VERIFICATION

I, KOUSHIK SAHA, the


petitioner no.- 1 of the instant
petition do hereby verify that, The
statements made above are true to my
knowledge and belief and I sign this
verification on today at the Court
Premises.
Duly Verified &
Identified by me

________________________________
Advocate Signature of Petitioner no-1/HUSBAND

VERIFICATION

I, PUJA SAHA, the


petitioner no.- 2 of the instant
petition do hereby verify that, The
statements made above are true to my
knowledge and belief and I sign this
verification on today at the Court
Premises.
Duly Verified &
Identified by me

________________________________
Advocate Signature of Petitioner no-2/WIFE

RUPEE- 1
STAMP

AFFIDAVIT
I, KOUSHIK SAHA, S/O- Nityananda Saha, Aged about- 32 yrs, By Religion – Hindu,
By Occupation- Business, Resident of Vill. – 2 No Mahadanga Colony, P.O + P.S- Chandannagar,
Dist.- Hooghly (712 410), do hereby solemnly affirm and declare as follows:

1. That, I am the petitioner no .1 of this instant suit and I am well conversant with
the facts of the case

That the statements made above are true to the best of my knowledge and belief.

__________________________
Signature of the Deponent
Read over all the content and
Prepared In My Office explains vernacularly and identified by me

Advocate Advocate
Cont…..
RUPEE- 1
STAMP

AFFIDAVIT
I, PUJA SAHA, W/O- Koushik Saha, D/O- Bablu Haldar, aged about- 25 yrs, By
Religion –Hindu ,By Occupation- House hold duties, At present residing at C/O Father:
Bablu Haldar, Vill- Rabindranagar, Paschim Para, P.O + P.S- Chinsurah, Dist.- Hooghly
(712 101). do hereby solemnly affirm and declare as follows :

1. That, I am the petitioner no .2 of this instant suit and I am well conversant with
the facts of the case.

That the statements made above are true to the best of my knowledge and belief.

__________________________
Signature of the Deponent
Read over all the content and
Prepared In My Office explains vernacularly and identified by me

Advocate Advocate

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