PETITION UNDER SECTION 125 OF THE
CODE OF CRIMINAL PROCEDURE, 1973
IN THE COURT OF THE PRINCIPAL JUDGE, FAMILY COURT
GAUTAM BUDH NAGAR, UTTAR PRADESH
IN THE MATTER OF:
Smt. [Petitioner’s Full Name]
W/o Shri [Respondent’s Full Name]
R/o [Petitioner’s Address]
...Petitioner
VERSUS
Shri [Respondent’s Full Name]
S/o Shri [Father’s Name]
R/o [Respondent’s Address]
...Respondent
MOST RESPECTFULLY SHOWETH:
1. That the Petitioner is the legally wedded wife of the Respondent. The marriage was
solemnized on 23rd February 2023 as per Hindu rites and customs.
2. That since the beginning of the marriage, the Respondent exhibited controlling,
emotionally distant, and aggressive behavior.
3. That within the first month, the Respondent started verbally abusing the Petitioner, using
humiliating and derogatory language daily.
4. That the Respondent has repeatedly called the Petitioner names such as 'gandi aurat', 'giri
hui aurat', and other extremely filthy abuses.
5. That the Respondent has inflicted physical violence on multiple occasions, including
slapping, kicking, dragging by hair, and suffocating the Petitioner.
6. That the Petitioner tried to resolve conflicts with patience, but the Respondent always
shouted, ignored, or escalated matters abusively.
7. That the Petitioner attempted to maintain peace and dignity in the marriage despite
mental and physical torture.
8. That the Respondent would often record videos of the Petitioner crying instead of
consoling her, using the footage to threaten and demean her.
9. That the Respondent’s abuse intensified in the presence of his family, who supported and
encouraged his behavior.
10. That on several occasions, including in Rohtak and abroad, the Petitioner was publicly
humiliated by the Respondent.
11. That the Petitioner suffered isolation and complete emotional breakdown due to the
sustained abuse by the Respondent and his family.
12. That during their time in Abu Dhabi, the Petitioner was left alone during illness and
suffered neglect and humiliation.
13. That on multiple birthdays and anniversaries, the Petitioner was subjected to mental
torture and insults instead of celebration.
14. That the Respondent used social media appearances to create a false image of a happy
marriage while privately abusing the Petitioner.
15. That the Petitioner bore all expenses for travel, outings, and even flights, including a trip
to London and Greece.
16. That during the Greece trip, the Respondent continued his abusive behavior and tried to
manipulate the Petitioner’s family post-return.
17. That the Petitioner was forced to leave the house on 13th August 2024 due to life-
threatening violence.
18. That she returned again in September 2024, trying to reconcile, but faced similar abuse
and manipulation.
19. That the Respondent made repeated threats such as 'I will ruin you', 'I’ll make you beg at
my feet', and similar intimidating remarks.
20. That the Petitioner lived in constant fear, her self-worth being destroyed by daily verbal
and physical abuse.
21. That on 16th November 2024, the Respondent assaulted the Petitioner in front of her
parents and expelled her from the house.
22. That she was recorded during breakdowns and mocked even during severe emotional
distress.
23. That she was repeatedly insulted about her family’s status, her upbringing, and was
compared derogatorily.
24. That the Petitioner was denied basic respect, medical attention, and human dignity
throughout the marriage.
25. That the Petitioner’s belongings, clothes, and essentials were tampered with or
discarded by the Respondent and his mother.
26. That her mother was insulted by the Respondent repeatedly, showing deep disregard
for the Petitioner’s family.
27. That the Respondent’s family isolated the Petitioner from her loved ones, controlling
communication and visits.
28. That despite enduring torture, the Petitioner still attempted multiple reconciliations at
her own emotional and financial expense.
29. That the Respondent finally abandoned the Petitioner and absconded to Abu Dhabi
without any communication.
30. That the Respondent has willfully neglected to maintain the Petitioner, despite having
the means and financial capability to do so.
PRAYER
In light of the above-stated facts and circumstances, the Petitioner respectfully prays that
this Hon’ble Court may kindly be pleased to:
a) Grant monthly maintenance of ₹[Insert Amount] to the Petitioner from the date of filing
this petition;
b) Direct the Respondent to return all stridhan and personal belongings of the Petitioner
illegally retained;
c) Award appropriate compensation for the emotional, physical, and mental trauma
suffered by the Petitioner;
d) Pass any other or further order as may be deemed fit and proper in the interest of justice.
Place: Gautam Budh Nagar
Date: [Insert Date]
Petitioner
Through Counsel:
[Advocate’s Name]
[Address & Contact Details]