Medion navigation kartenmaterial skype app. Artha Rin Adalat Ain 2003 Bangla 01 - Download as PDF File. “Artha Rin Adalat Ain. Where the defendant resides out of Bangladesh and has no agent in. Cs 1 3 keygen. Artha rin adalat ain 2003 bangladesh. 3b9d4819c4 artha rin adalat 2003 pdf Official Site - comhelpany.cominstock% artha rin adalat 2003 pdf. Download removewat windows 7 terbaru indonesia. You Want Something Special About Best pill? Virtualbox guest addition download. Artha rin adalat 2003 pdf,We have special offers for you.Artha Rin Adalat Ain 2003 Bangladesh Pdf - milesgoodDhaka in Miscellaneous Case No. 49 of 2006 arising out of Artha Execution. Is the enactment of the new Artha Rin Adalat Act of 2003.
<ul><li><p> IN THE COURT OF 2nd ARTHA RIN ADALAT AIN, DHAKA </p><p> ARTHA RIN SUIT NO: 06 OF 2015 </p><p> AB Bank Limited </p><p> House No: 193 </p><p> Kataban Road </p><p> Police Station: Nilkhet </p><p> District: Dhaka </p><p> .Plaintiff </p><p> - Versus- </p><p> 1. Name: Abdul Halim </p><p> Proprietor of: </p><p> M/S Smart Industries </p><p> Address: 103, Mirpur, 11. </p><p> Police Station: Mirpur. </p><p> District: Dhaka </p><p> 2. Md. Kamal </p><p> Address: 112, Shegun Bagicha </p><p> Police Station: Ramna </p><p> District: Dhaka </p><p> .Defendants </p></li><li><p> SUIT FOR RECOVERY OF MONEY </p><p> Suit valued at taka 3, 50, 00,000 upto 16-04-15. </p><p>The above named plaintiff most respectfully: </p><p>Sheweth: </p><p>1. The plaintiff is a banking company incorporated under the Companies Act, 1994 and is </p><p>situated at 192 Kataban Road, Police Station: Nilkhet in Dhaka and hereby will be known as the </p><p>plaintiff bank. </p><p>2. The defendant No: 1 is a company incorporated under the relevant Companies Act, 1994 and </p><p>is the proprietor of M/S Smart Industries. </p><p>3. The defendant No. 2 opened a bank account on behalf of defendant No.1 and the account No. </p><p>is CD-10030. The account was opened for the sanction of 3, 00, 00,000 taka for executing the </p><p>work order of the industry. The sanctioned money was given on 02-05-2010. </p><p>4. For the security defendant No: 1 executed the following documents: </p><p> a) Demand Promissory Note </p><p> b) Letter of Continuity </p><p> c) Letter of Hypothecation of bills. </p><p> 5. Defendant No:1 failed to repay the loan after the validity period expired on 05-05-2012. </p><p>6. The plaintiff bank verbally and in written informed defendant No: 2 but it was in vain. </p><p>Defendant No: 2 showed different excuses in paying the loan. </p><p>7. On 08-09-12, 03-07-13, 05-05-14 plaint vides series of letter to defendant No: 2 but defendant </p><p>No: 2 was reluctant to pay the loan. Defendant No: 2 wanted to extend the time but after that </p><p>willfully restrained from making any payment. </p></li><li><p>8. Legal notice was served on 10-12-14 to defendant No: 2 but he did not make any payment due </p><p>to the bank. </p><p>9. The present outstanding liability of the defendant No: 1 is taka 3, 50, 00, 000 up to 16-04-</p><p>2015. </p><p>10. The cause of action arose in Dhaka on 02-05-2010 when the bank sanctioned loan and served </p><p>notice to defendant No: 2 on 10-12-14 to come forward and pay the loan. </p><p>11. The plaintiff bank has paid necessary court fees. </p><p>12. An authorized representative of plaintiff Bank, Mr. Jamal, who is aware of all facts, will </p><p>represent the suit. </p><p> Wherefore the plaintiff most humbly pray before the </p><p> honourable court: </p><p> (A) A decree for sum of taka 3, 50, 00, 000 only interest </p><p> calculated up to 16-04-2015 in favor of the plaintiff </p><p> bank and against the defendant; </p><p> (B) A decree for pendent lite interest at the rate </p><p> stipulated in the Artha Rin Adalat Ain, 2003. </p><p> (C) Costs of the suit; </p><p> (D) Any other relief entitled in law and equity. </p><p> SCHEDULE-1 </p><p> Description of loan and amount outstanding </p><p> Principle loan amount Interest other Expenses Outstanding </p><p> 3, 00, 00, 000 50, 00, 000 ---------- 3, 50, 00, 000 </p></li><li><p> SCHEDULE-2 </p><p> AFFIDAVIT </p><p>I, Mr. Jamal, son of late Kamal Mia, National Bank Ltd, Dilkusha Branch,48,Dilkusha </p><p>Commercial Area, Dhaka-1000,aged about 42 years, occupation service, by faith Muslim, </p><p>Nationality Bangladeshi, do hereby solemnly affirm and say as follows : </p><p>1. That I am an officer of the plaintiff bank and as such am fully acquainted with the facts and </p><p>circumstances of the case and competent to swear this affidavit. </p><p>2. That the statements of facts made above are true to the best of my knowledge and belief, and </p><p>the rest are verbal submissions before this Honble Court and in verification whereof I signed </p><p>this Affidavit on 15-04-2015. </p><p> DEPONENT </p><p> The deponent is known to me and </p><p> identified by me and he has signed this </p><p> affidavit in my presence. </p><p> (Signature) </p></li></ul>
Artha Rin Adalat Ain 2003 Bangladesh Pdf To Excel Free![]() Artha Rin Adalat Ain 2003 TextArtha Rin Adalat Ain 2003 Bangla
Artha Rin Adalat Ain 2003 SummaryComments are closed.
|
Details
AuthorWrite something about yourself. No need to be fancy, just an overview. ArchivesCategories |