Neha Singh Advocate OFFICE:
BA. LLB (H) CHAMBER NO.623,
WESTERN WING,
ENROLLMENT NO. D/7309/2024 TIS HAZARI COURT,
DELHI DELHI
BY. REGD.AD/COURIER
TO,
1. Mrs. ARTI
2. Mr. KUSHAL METHA
Both R/O E-81, PAPPAN KALAN, DWARKA
SEC-1, NEW DELHI
SUB :- Notice to vacate/ handover the peaceful possession of the property.
RESPECTED SIR,
Under the instruction of my client, Mrs. Gunjan and Mr.Dhiraj Panday,
presently resided at H 4/60, TOP FLOOR FRONT SIDE BENGALI COLONY
MAHAVIR ENCLAVE, NEW DELHI-110045. I serve upon you the following Legal
notice :-
1. That my client is the owner/landlord of the property bearing No. FLAT-
202, IIND FLOOR, H-2/96, SULABH INTERNATION MAHAVIR ENCLAVE,
Dabri, South West Delhi ,Delhi -110045.
2. That my client let out the said flat to you both noticee for residential
purpose on 21 November, 2023 after executed rent agreement dated 21
November, 2023 on a monthly rent of ₹8000/- excluding electricity and
water charges for the period of 11 month from 21 st November, 2023 to
21st October, 2024
3. That it was settled between my client and you noticee that in Case. If,
you both noticee fail to pay the monthly rent of ₹8000 to my client and if
you noticee involve in any kind of wrongful activities or unlawful
activities than my client shall be entitled to get vacate the said rented
premises/ flat immediately from you noticee. Since you both noticee fail
to pay the rent since February 2024 even after repeated request you
both noticee fail to clear due arrears /rent of my client.
4. That on 14th February, 2024 my client got a call from one police officer
special cell, Trilok Puri informing my client that noticee named Mr.
Kushal Mehta involved in some serious crime and FIR also registered
against him and police searching for him since long time, case registered
under MACOCA act against him.
5. Since, Then you noticee named Mrs. Arti using the said property of my
client nor paying rent till date and whenever, my client ask you to clear
the rent dues and request to vacate the property due to the involvement
of you noticee in wrongful activities and non payment of rent. you
noticee started threatening my client and his family members to extort
money from my client by adopting illegal means moreover, as per the
term between you noticee and my client promise to pay the monthly
rent on time but you fail to do the same for the reason best known to
you. Your this behaviour is nothing but breach of violation of the terms
and conditions settled between you and my client and in such a
condition my client is entitled to terminate the rent agreement and ask
you to deliver the vacant and peaceful possession to my client. Thus, my
client is not interested to keep you as tenant of said property anymore.
My client wants to gets the said property immediately from you noticee.
6. That your behavior is not only wrong , unjustifiable and uncalled for but
also violation of provision of Transfer of Property act and other property
acts.
I, therefore through this notice call upon you to pay the arrears/rent ₹
2,00,000 excluding electricity and water bills along with compensation
causing mental agony, tension and harassment with interest and vacate
the said flat of my client immediately within the period of 15 days from
the date of receipt of this legal notice failing which my client shall be
constrained to file a civil suit of eviction as well as criminal proceedings
for trespassing.
You noticee, takes further notice that, upon your failure to pay the
above stated amount within the period mentioned above as well as legal
charge of this notice ₹2100 for your offence the other recovery
proceedings initiated against you under relevant provisions of law.
Take notice that any litigation if initiated, as mentioned above shall entirely be
upon your risk as to cost consequences that a copy of this notice retained in
my office for further reference/record and legal action.
NEHA SINGH
(Advocate)