IN THE HON’BLE HIGH COURT OF DELHI AT NEW DELHI
(CRIMINAL REVISION JURISDICTION)
CRL.REV.P _________OF 2023
IN THE MATTER OF:-
MOHD KAREEM …PETITIONER
VERSUS
STATE OF GNCTD & ANR.
…RESPONDENTS
APPLICATION UNDER SECTION 482 Cr.P.C FOR CONDONATION
OF DELAY IN RE-FILING THE REVISION PETITION
MOST RESPECTFULLY SHOWETH:
1. That the instant Revision Petition is preferred before this Hon’ble Court from
the Order dated 19.12.2022 passed by Ld. Principal District & Session Judge,
South, Saket Court, New Delhi passed in Criminal Appeal No.317/2022 arising
out of an ad-interim maintenance order dated 19.11.2022 passed in CT Cases
No.13956/2018 passed by Ld. MM-02 (Mahila Court), South, Saket Court, New
Delhi whereby the interim application of the Respondent No.2/wife for granting
ad-interim maintenance was upheld.
2. That the petitioner had filed the revision petition on 18.01.2023 before the
Hon’ble High Court of Delhi within limitation of 90 days of the impugned order
dated 19.12.2022.
3. That the same was lying under office objections for ___days owing to
_________________________ resulting in delay of ____ days in re-filing.
4. That the reason behind the said delay of ___days in re-filing was owing to a
possibility of settlement between the parties following order of Ld.
Metropolitan Magistrate-02 (Mahila Court), South, Saket Court which vide
order dated 20.05.2023 was pleased to refer the parties for mediation.
5. It is humbly submitted that that the reason for delay of ___ days in re-filing was
with a view to not disrupt the efforts by responsible persons in between to
amicably resolve the dispute between the parties.
6. It is further submitted that it is only after the efforts to resolve the matter
between the parties did not fructify, thus the petitioner seeks the leave of this
Hon’ble Court to condone the delay of ___ days in re-filing the instant revision
petition.
7. It is respectfully submitted that the delay of ___ days in re-filing the instant
revision petition is neither deliberate nor intentional but solely due to above
stated reason.
8. It is also submitted that if the present application is not allowed the Applicant
shall suffer irreparable loss and the delay in filing the Revision Petition is bona
fide.
9. The present application is bona fide and in the interest of justice.
In light of the above it is respectfully prayed that this Hon’ble Court may be
pleased to:
a) Allow the present application and condone the delay of ___ days in re-
filing the Revision Petition and/ or;
b) Pass any other further order(s) as this Hon’ble Court may deem fit and
proper and in the interest of justice.
APPLICANT
NEW DELHI
DATE:
R.L SINHA
ADVOCATE (D/3544/2016)
NEW DELHI- 110 503
PH: 8287904070
IN THE HON’BLE HIGH COURT OF DELHI AT NEW DELHI
(CRIMINAL REVISION JURISDICTION)
CRL.REV.P _________OF 2023
IN THE MATTER OF:-
MOHD KAREEM …PETITIONER
VERSUS
STATE OF GNCTD & ANR.
…RESPONDENT
INDEX
Sl. No. Particulars Pg. Nos
1. URGENT APPLICATION
2. COURT FEES
3. APPLICATION UNDER SECTION 5
LIMITATION ACT FOR
CONDONATION OF DELAY IN RE-
FILING REVISION PETITION WITH
SUPPORTING AFFIDAVIT
APPLICANT
NEW DELHI
DATE:
R.L SINHA
ADVOCATE (D/3544/2016)
NEW DELHI- 110 503
PH: 8287904070