BEFORE THE METROPOLITAN
MAGISTRATES COURT
AT ……….
C.R. No. /
20__
ABC Applicant
Versus
The State of Maharashtra
(through XYZ Police station) Respondent
APPLICATION FOR DISCHARGE OF SURETY
U/S 444 OF CrPC, 1973
MAY IT PLEASE YOUR HONOUR
The
Applicant beg to state as under –
1. That the Applicant is the Surety for ………., the accused
in the above case.
2. That the Applicant, for the past 2 months, requesting
the said accused to arrange for fresh surety in place of the present Applicant,
for, the Applicant has lost control over the movement of the said accused.
3. That the Applicant would not be able to cause the
presence of said accused on the coming dates of hearing because of Accused’s
such behaviour.
4. That the Applicant herewith hands over the custody of
said accused to this Hon’ble Court.
5. The Applicant, therefore, most humbly, prays that the
Applicant, therefore, be discharged from the present legal obligation and
responsibility.
FOR
THIS ACT OF KINDNESS THE APPLICANT AS IN DUTY BOUND SHALL EVER PRAY FOR
Dated this ____ Day of ______, 2015
ABC
Applicant
XYZ
Advocate for the
Applicant
Legal
Prescriptions (Index)
Sentence of Caution
https://www.litigationplatform.com/
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