ADVOCATE DEEPAK AGRAWAL
Chamber No. 162/163
Court Compound, Moradabad (U.P)
email id: firstname.lastname@example.org
REFERENCE NO. 123456 Date- 02/05/2021
Station House Officer,
Second Town Police Station,
Station Road, Moradabad,
Subject- Complaint against Mr. Suresh Sharma son of Mr. Ram Sharma regarding Dowry against the complainant Mrs. Rita Sharma daughter of Mr. Anand Sharma and Mrs. Anita Sharma who is resident of 24/7 Civil Lines, Badaun (Uttar Pradesh) under Section 304 B and Section 498 A of Indian Penal Code 1860.
Under instructions and on behalf of complainant Mrs. Rita Sharma wife of Mr. Suresh Sharma who is resident of Phase 1, Ram Ganga Vihar, MDA , I do hereby serve upon the above mentioned complaint against above mentioned accused and would like to address you as follows:
a) That accused was married with my client on 15 January 2019 according to Hindu rites and customs in the presence of friends, family and relatives of both the parties. That after marriage both the spouses lived together as husband and wife and cohabited with each other in their matrimonial home at Moradabad. After marriage, my client performed all her duties and obligations towards her husband and her in-laws and always treated them with respect and affection.
b)That soon after a year, they started harassing her with cruelty. They insulted her in front of neighbours by using filthy languages and also insulted her parents in various different ways. They infact give my client terrible mental pain and agony which affected her mental health. They beat her with iron rods without any reason. Even my client was not given food for 2 days. They didn’t allow her to talk to her parents except for asking her parents to fulfill their demands. Also the husband of my client denied to have sexual relations with her due to non fulfillment of their demands. Even my client’s husband is threatning her of divorce.
c)That my client’s husband and her in-laws are demanding a BMW car, a Bunglow and many other things from my client’s parents which is beyond their status and on non fulfillment of their demands they are harassing her with above allegations.
d) That Complainant all through out her married life has been treated by her husband and her in-laws with utmost cruelty both mental and physical. Under these circumstances she feels threatened due to illegal acts and harassment caused by both her husband and her in-laws and has approached me for immediate legal help.
That under these circumstances she need immediate relief from her husband and in-laws and has demanded protection from her in-laws and strict action to be taken against them as soon as possible as my client is unable to live in her matrimonial house under such situation as stated above.
Kindly take some action as soon as possible.
ADVOCATE DEEPAK AGRAWAL
Written by ANSHIKA AGRAWAL @LEXCLIQ