IN THE COURT OF _____
In the matter of:-
_____ Versus _____
SUIT FOR DECLARATION WITH THE CONSEQUENTIAL RELIEF OF PERMANENT INJUNCTION
APPLICATION TO PREPOND THE CASE
The applicant/plaintiff humbly submits as under:-
1- That the above noted execution is pending before this Hon’ble court and is fixed for _____.
2- That the case was fixed for _____ and next date was fixed on _____ for filing the written statement, reply to the injunction application.
3- That the defendant without the knowledge and notice of the plaintiff has moved an application for fixation of some early date but no personal service of the notice of the said application has been effected upon the applicant /plaintiff and the opposite party managed to produce _____, for and on his behalf in this Hon’ble court while neither the plaintiff has authorized _____ nor signed any Vakalatnama.
4- That the above noted case is of an emergent nature and if the application under order _____ rule _____read with section _____ CPC was not decided earlier then the applicant /plaintiff will suffer an irreparable loss and injury.
It is, therefore, prayed that the above said case may kindly be preponed by fixing a short date of hearing
_____ Advocate, _____