Skip to main content

APPLICATION FOR REFUND OF BAIL AMOUNT DEPOSITED

IN THE METROPOLITAN MAGISTRATE’S ____ COURT
At _____________, MUMBAI
COURT CASE NO. _____ / ___ / 2015

_______________________                                            …..Complainant
Versus 
______________________                                               …… Accused

APPLICATION FOR REFUND OF AMOUNT OF RS. ______
MAY IT PLEASE YOUR HONOUR:
On behalf of the Accused above named, it is respectfully submitted that:
1.      That the aforesaid Accused got acquittal by Order of this Hon’ble Court dated ______, and this Hon’ble Court was pleased to cancel the Bail Bond so executed by the said Accused.
2.      That about six months have elapsed since the passing of the said Order of acquittal, and the Applicant has not received any communication, either from the Complainant / Prosecution, or from the Appellate Court, in respect to the challenge to the said Order of acquittal.
3.      Therefore, the Accused, in this backdrop, most respectfully, seeking for the Refund of Rs._____ (Rupees _________- Only) deposited towards the Bail amount. Hereto annexed is the Receipt issued pursuant to deposit of Rs._______-, being Receipt No. _______ dated ______, along with the copy of the Order of this Hon’ble Court dated ________.
4.      Therefore it is most respectfully prayed –
(a) That this Hon’ble Court may be pleased to pass an Order directing the concerned Head Cashier, at __________ Office, to refund the aforesaid amount.           
And for this act of kindness as in duty bound the Applicant shall pray ever.
Date: ____
Place: _____

AAA
Applicant /
Advocate for Accused





https://www.litigationplatform.com/



Comments

Post a Comment

Popular posts from this blog

Application before Supdt. of Jail for signing Vakalatnama by accused

LETTER HEAD OF THE ADVOCATE To, The Superintendent of Jail _______ Jail Mumbai. FORWARDING THE VAKALATNAMA FOR THE SIGNATURE OF MY CLIENT / ACCUSED NAMED _______ Dear Sir, I am concerned for my Client (Name of the Accused) who is presently in your judicial custody and I will be defending the said accused in the criminal case. I herewith annex the Vakalatnama and my ID card for your reference. It is therefore, most humbly, requested that the signature of the said Accused be obtained on the said enclosed Vakalatnama and be returned the same to the bearer of the copy of this letter. Thanking you.    Yours truly, XYZ Encl: As above.  Note: The said letter may be handed over to the Police official standing outside the Jail and may be collected later on. Find updated draft at / and any other  Legal issues !! If you are facing any of these issues like (a) Recovery of Moneys (b) ...

Discharge Application u/ss 227, 239, 245 CrPC

A broad approach to drafting of any Application / Petition / Complaint may be undertaken in three chronological “Heads” – 1.       Reliefs prayed for / claimed; 2.       Grounds for Reliefs prayed for / claimed; (both factual and legal); 3.       Narration of facts substantiating the said grounds. Further, there may be narration of such facts in the   beginning of the draft, which would lay foundation for “material facts of the case”. Grounds for Reliefs prayed for / claimed implies (a) the essence / conclusion of material facts; and (b) other legal provisions which supports the reliefs prayed for / claimed. IN THE METROPOLITANS MAGISTRATES _____COURT AT ESPLANADE, MUMBAI C.C. No. ________/ SS / 2015 ______________________                         ...

APP FOR DISCHARGE OF SURETY U.S.444

BEFORE THE METROPOLITAN MAGISTRATES             COURT AT ………. C.R. No.    /  20__           ABC                                                           Applicant                                                                     ...