Petition Praying For Interim Measures
Petition Praying For Interim Measures Deed Format
In the High Court at Calcutta Ordinary Original Civil Jurisdiction
In the matter of:
The Arbitration & Conciliation Act 1996
And
In the matter of:
An application under section 9 of the
said Act
And
In the matter of:
An Arbitration Agreement contained in the Contract No. 3 dated ………………
And
In the matter of:
Petitioner
versus
Respondent
To
The Hon’ble Mr. …………………… Chief Justice and His Companion Justices of the said Hon’ble Court
The humble petition of the petitioner above-named most respectfully
Sheweth:

1. The petitioner is engaged in construction of houses, flats, guest houses and other apartments.
2. The petitioner has a good reputation as a contractor in the construction business.
4. Your petitioner carried out the work of construction in accordance with the said agreement and completed the work and obtained the completion certificate from the respondent.
5. Your petitioner submitted running bills from time to time but the respondent wrongfully deducted 10% from the same purported to be as Security Money.
7. The respondent has wrongfully refused to take delivery of the completed houses, flats and guest houses on some flimsy pretext and has withheld payment of the outstanding bills amounting to Rs. 50 lakhs.
8. In breach of the said agreement, the respondent has invoked the said Bank Guarantees but the same has not yet been paid by the bank concerned.
9. Your petitioner gave due notice to the respondent regarding the dispute to the sole Arbitrator Mr. Rajib Khaitan an Advocate in terms of the arbitration clause in the said Contract No. 3. The respondent has not yet replied to the said notice appointing the said sole Arbitrator by the petitioner.
12. The respondent is commercially insolvent and several petitions are pending for windingup of the respondent company.
14. By reasons of the aforesaid, your petitioner prays for an Order of Injunction restraining the respondent from encashing the said Bank Guarantees until settlement of the disputes between the parties by the Arbitrator.
15. Unless Orders are made as prayed for herein your petitioner will suffer loss and prejudice.
16. This application is made bona fide and in the interest of justice.
Your petitioner, therefore, humbly prays Your Lordships for the following Orders:
(a) Injunction restraining the respondent from enforcing the Bank Guarantees Nos. 1 and 2 issued by the State Bank of India, Camac Street Branch for Rs. 20 lakhs and Rs. 5 lakhs or encashing the same or receiving payment until the disposal of the arbitration proceedings in terms of the arbitration clause in the said contract;
(b) Ad-interim Order in terms of prayer (a) above;
(c) Costs incidental to this application be the costs in the proceedings.
And your petitioner, as in duty bound shall ever pray.
Signature of Advocate Signature of
for the petitioner the petitioner
Verification
I, ……………………………………… son of …………………………… ………………… aged about ………… years, by occupation service working for gain at 7A, Camac Street,
Calcutta 700 016 do hereby solemnly affirm and say as follows:
Solemnly affirmed by the said Mr…………………………………… pursuant to Board Resolution of the Builders India Private Ltd. dated ………………… in the Court House at Calcutta on the 5th day of November 1999.
Before me
Commissioner
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