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Civil Appeal Format for District Court

The document contains a civil appeal filed by the appellant AB against the judgment and decree passed in a previous suit. The appeal outlines several grounds for contesting the decision, including claims of legal and factual errors. Additionally, a stay application is included, requesting that the operation of the contested judgment be paused during the appeal process.

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ABUBAKAR SHAMSI
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0% found this document useful (0 votes)
1K views3 pages

Civil Appeal Format for District Court

The document contains a civil appeal filed by the appellant AB against the judgment and decree passed in a previous suit. The appeal outlines several grounds for contesting the decision, including claims of legal and factual errors. Additionally, a stay application is included, requesting that the operation of the contested judgment be paused during the appeal process.

Uploaded by

ABUBAKAR SHAMSI
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as DOCX, PDF, TXT or read online on Scribd

IN THE COURT OF THE HON’BLE DISTRICT JUDGE,……………..

CIVIL APPEAL NO…………… OF…………..


AB …Appellant

Vs.

CD Respondent

CIVIL APPEAL UNDER SECTION 96 OF CIVIL PROCEDURE CODE

The above named appellant beg to prefer this appeal being aggrieved against the
judgment and decree dated …… passed by the …………. in Suit No. ……of….. between
……..Versus …………………, and sets forth the following grounds of appeal, amongst
others:
GROUNDS OF APPEAL
1. Because the impugned and decree is unwarranted both in law and facts.
2. Because………………………
3. Because……………………..

4. Because………………………

5. Because………………………

6. Because …………………….

7. Because …………………….

[Link] the impugned judgment and decree is dc-void of tacts.

[Link] the impunged and decree is based on surmises and conjunctures.

10. Because, impugned judgment, if allowed to stand would occasion a failure of justice and
cause irreparable loss and injury to the appellant.

PRAYER

So, it is most humbly prayed that your Honour may kindly be pleased to set aside the
impugned judgment and decree dated …… passed by the …………. in Suit No. ……of…..
between ……..Versus …………………, and also be pleased to pass any other order, deemed
fit in the circumstances, in the ends of justice and law in favour of appellant.

Date……..

Counsel for Appellant


IN THE COURT OF THE HON’BLE DISTRICT JUDGE,……………..

APPLICATION NO.………………..OF……………

IN

CIVIL APPEAL NO…………… OF…………..


AB …Appellant

Vs.

CD Respondent

STAY APPLICATION ON BEHALF OF APPELLANT

For the sufficient reasons disclosed in the accompanying affidavits which forms part
of this application it is most humbly prayed that your Honour may kindly be pleased to stay
the effect and operation of the impugned judgment and decree dated …… passed by the
…………. in Suit No. ……of….. between ……..Versus …………………,, during the
pendency of this appeal in the of justice and law.

Date……..

Counsel for Appellant


IN THE COURT OF THE HON’BLE DISTRICT JUDGE,……………..

CIVIL APPEAL NO…………… OF…………..


AB …Appellant

Vs.

CD Respondent
AFFIDAVIT OF APPELLANT
Affidavit of………….. aged about………….. years, son of…………
resident of……………… village ………..District…………
Deponent.

I, the deponent above named do hereby solemnly affirm and state on oath as under:-
1. That the deponent is appellant in this appeal and as such he is fully conversant with the
facts deposed to below.
2. That the deponent/appellant has filed civil appeal being aggrieved against the judgment
and decree dated …… passed by the …………. in Suit No. ……of….. between ……..Versus
………………….

3. That the grounds of appeal are very cogent and appellant has full hope of success therein.

4. That the deponent/ appellant ……………………………….

5. That the deponent/ appellant ……………………………….

6. That the deponent/ appellant ……………………………….

7. That the deponent/ appellant ……………………………….

8. That it is expedient in the ends of justice and law that the operation of the impugned
judgment and decree be stayed during the pendency of this appeal otherwise purpose of filing
this appeal by the deponent will be frustrated.

I, the deponent above named do hereby verify that the contents of paras …to … of
this affidavit are true to my personal knowledge and belief. No part of it is false nor anything
material has been concealed in it.

Date…………….
Deponent.

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