IN THE COURT OF ___________JUDGE, LAHORE
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________Â
Plaintiff
VS
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________Â
Defendant
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Respectfully Sheweth;
That the above captioned matter is pending for adjudication in this Hon’ble Court which is currently scheduled for hearing on 1-3-20__
That the principle of natural justice, equity and good conscience demands that this case be heard at earliest possible date.
That it further submits an early hearing will not cause any undue prejudice to the Respondent/Defendant.
It is a well-established principle that justice delayed is justice denied, and the applicant respectfully submits that in this particular case, such prolonged delay would result in an irreversible damage to the applicant.
That if this Honorable Court does not accept this application for early hearing, it will cause the applicant significant and irreparable harm.
PRAYER
Given the facts and circumstances outlined above, it is most respectfully requested that this Honourable Court grant an expedited hearing of this case in the interest of justice.
Any other relief, which this Honourable Court deem fit may also be granted.
Applicant
Through
______________
Advocate High Court
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_________Plaintiff
VS
_________Defendant
APPLICATION UNDER SECTION 151 CPC, 1908 FOR FIXATION OF TITLED SUIT APPLICATION AT EARLY HEARING
AFFIDAVIT OF: ___________________ S/o _______ R/o House No._______, street No.___.Â
I, the above-named deponent does hereby solemnly declare and affirm as under:
That the contents of the accompanied Application are true and correct to the best of my knowledge and belief and that nothing has been concealed thereof.Â
DeponentÂ
Verification:
Verified on oath at Lahore this   day of         ,2024 that the contents of the above Affidavit are true and correct to the best of my knowledge and belief.
Nothing stated herein is incorrect nor anything material has been kept concealed.
Deponent