Mortage Suit Union Bank of India
Mortage Suit Union Bank of India
Mortage Suit Union Bank of India
O.S.No. /2021.
Union Bank of India, [ Ears’t while Andhra Bank] a Body -------- Plaintiff.
corporate constituted under Banking Companies (Acquisition &
Transfer of Undertakings) Act, 1970 having its Head Office at
239, Vidhan Bhavan Marg, Nariman Point, Mumbai- 400021 and
one of its branch offices at Rajoli, Jogulamba Gadwal
District. by its Branch Manager.
Versus
1]. Munagara.Umadevi ------ Defendant
2]. M.Sivakumar s
PLAINT FILED ON EHALF OF THE PLAINTIFF UNDER ORDER 7 RULE 1 READ
WITH SECTION 26 OF CIVIL PROCEDURE CODE..
PLAINTIFF:- Union Bank of India, [ Ears’t while Andhra Bank] a Body
corporate constituted under Banking Companies (Acquisition &
Transfer of Undertakings) Act, 1970 having its Head Office at 239,
Vidhan Bhavan Marg, Nariman Point, Mumbai- 400021 and one
of its branch offices at Rajoli , Jogulamba Gadwal District,
Rep. by its Branch Manager.
The address of the Plaintiff for service of process, summons, notices etc. is as stated above
and also on his counsel
Mr B.PAKKEER REDDY.
ADVOCATE
CELL. No. 9440655718.
DEFENDANTS:- 1]. Managara Umadevi, W/o. M.Sivakumar, aged about 44 years,
Hindu, House wife,
2]. M.Sivakumar, S/o. M.Sundara Rao, aged about 46 years, Hindu,
Both are residents of H.No. 51-991-A, S.B.I.Colony, Near Water
Works , Seetharam Nagar, Kurnool-2.
Now they are residing at Flat. No.11, RichMand, Homes, Near
H.P.School, Hosanna Mandir Road, Kodumur Road, Kurnool City.
The address of the defendant for service of summons, process, notices etc. is as stated
above.
* * *
3].The defendants No.1 and 2 are wife and husband. The first defendant is borrower
and the 2nd defendant is guarantor.
4]. That on 08-05-2017 the 1st defendant approached the Manager of plaintiff Bank,
for sanction of loan amount of Rs.10,00,000/-[ Rupees ten lakhs only] under
ABPTL Scheme to Purchase the house site After explaining the terms and
conditions of the bank and the rate of interest @ 10.15% per annum, the plaintiff
bank sanctioned the loan of Rs.10,00,000/-[ Rupees TEN Lakhs only] vide account
No. A/C.No. 093030100065280 on -08-05-2017 by creating equitable Mortgage
shown in schedule property as security and discharge of the loan along with 2 nd
defendant who signed co-Obligant . The defendant No.1 has agreed to repay the
said loan amount in 120 equal installments at Rs. 13,803/- per month. The defendant
No.1 has executed Term loan agreement for small loan on 08-05-2017 and defendant
No. 1 have executed the Demand Promissory note and D.P.Note Delivery letter, the
defendant No.2 stood as Guarantor for the defendant No.1’s loan by way of deposit
of her title deeds and executed the memorandum of deposit of title deed MOD
Registration No. 1052/2017 dated 27-03-2017 before the SRO Alampur infavour of
the plaintiff Bank,.
5]. Again the 1st defendant approached the plaintiff bank on 24-12-2017 and the
plaintiff bank sanctioned HLPGN loan amount of Rs. 5,00,000/- on condition to
repay the same with interest at the rate of Rs.8.40 p.a in 60 equal monthly
installments at the rate of Rs. After explaining the terms and conditions of the
plaintiff Bank the 1st defendant, 2nd defendant are also agreed to repay the same per
conditions of the plaintiff bank on Mortgaging her suit schedule house .
6]. The 1st Defendant has offered her schedule property as security for discharge
of the loan along with 2nd Defendant who stood as co- obligatnt. In that regard,
both the Defendants have executed necessary documents i.e D.P.Note and Term
Loan agreement etc. acknowledging their liability to the Plaintiff Bank on 08-05-2017
and 24-12-2017.
7]. After availing the loan facilities that the defendants inspite of repeated
demands and notice the defendants failed to repay the loan amounts. On
investigation by the plaintiff Bank Vigilance it, came to light that the defendants 1
and 2 which is offered as security with intentions to defeat and defraud the plaintiff
bank. When the plaintiff bank approached, the defendants dis not properly respond.
The plaintiff bank got issued legal notices to both the defendants. But the defendant
failed to repay the same. The defendants are jointly and severally liable to discharge
the suit debt. Hence this suit.
8]. Cause of action.:
The cause of action for the suit arose on 08-05-2017 when D1 borrowed
Rs.10,00,000/- from the plaintiff bank at Rajoli Branch, Rajoli mandal, under ABPTL
Scheme and again on 22-12-2017 the 1st defendant
borrowed Rs.5,00,000/- under
HLPGN Scheme from the same bank and executed loan agreement as borrower
and infavour of the bank, and also on when the plaintiff bank issued legal notice ,
and the subsequent dates of demand by the Bank and refusal by the defendants at
Rajoli, within the Jurisdiction of this Hon’ble Court,
As the above cause of action for the suit arose at where the suit transaction took
place, where the plaintiff bank is situated at Rajoli Village and Mandal, and where
Mortgage was created at S.R.O Alampur infavour of the plaintiff Bank, within the
Jurisdiction of this Hon’ble Court, and this Hon’ble court has got Jurisdiction to
entertain the suit.
9].PARTICULARS OF VALUATION.
A]. Principal Amount due of ABPTL . A/C.No. Rs. 7,64,446.66
09300100065280 on 16-04-2021
B]. Interest on Rs.7,64,446 at 10.15% from 16-04-2021 to 29- Rs. 1,551.82
04-2021
C] Total Suit amount Rs. 7,66,018.12
Over which a court fee of Rs.10,326/- Is paid thereon.
A]. Principal Amount due of HLPGN . A/C.No. Rs.4,01,040-00
09030100076879 on 30-01-2021
B] Interest on Rs.4,01,040/- at 8.40% from 30-01-2021 to 29- Rs. 1,684-00
04-2021
C] Total Suit amount Rs.4,02,724-00
Over which a court fee of Rs.6,526/- is paid thereon.
[ ABPTL Loan + HLAPGN Loan ] i.e. Rs. 7,66,018.12+ 4,02,724-00/- in
Total Rs.11,68,742-33
VERIFICATION
I, the above named Manager of the plaintiff bank do hereby declare that what all
stated in the above paras is true and correct to the best of my knowledge and belief and I
have signed herein at ALAMPUR on this the day of July,2021.
PLAINTIFF
Schedule
Residential house bearing H.No. 4—6/1 admeasring 151.44 Sq. Yards
equal to 126.62 Sq. Meters situated at Ramnagar, Thurpukaman,
S.D.Road, Mahaboob Nagar Municipal Corporation, Mahaboob Nagar
Sub Registration and registration district Mahaboob Nagar bounded as
follows.
East:- House of Abdul Khader
West:- H.No.4-3-7 of Sadanna Parameshwar
North:- Property fell to the share of Ist party Rama Devi
South:- House of Chandra Sekhar Settee. ,
Verification of Schedule
I, the plaintiff do hereby declare that the schedules shown above is true to
the best of my knowledge and belief and the records available our bank records I
sign this verification on
PLAINTIFF .
List of documents:-
S.No. Date Of Parties to Description of Documents Remarks
Document documents
1]. 08-05-2017 Plaintiffs & Application form for personal loan by 1st Original
defendants defendant[ Consent letter of Guaratnees]
2]. 08-05-2017 Plaintiff Sanction order by plaintiff Bank Original
3]. 08-05-2017 Plaintiff and Letter of consent by the D1 &D2 Original.
defendants
4]. 08-05-2017 Plaintiff and D.P.Note executed by defendants Original
defendants `
5]. 08-05-2017 Plaintiff and Consent letter from D1 for disclosure of Original
defendant Information to CIBIL
6]. 08-05-2017 Plaintiff and Property statement Original
defendant
No.1
7]. 08-05-2017 Plaintiff and Consent letter from D2 [Guarantor] for Original
Guarantor disclosure of Information to CIBIL
8]. 08-05-2017 Plaintiff and Property statement Original
defendant
No.1
9]. 08-05-2017 Plaintiff and Bank rights to cannel limits Original
defendants
10]. 08-05-2017 Plaintiff and Composite loan agreement Original
defendants
11]. 27-03-2017 Plaintiff and Registered Memorandum of deposit of Original
defendants Title Deed by 1st defendant [ E.M. recital
extract and creations of E.M.] with baring
Doc. No. 1052/2017.
12] 22-12-2017 Plaintiffs & Application form for personal loan by 1st Original
defendants defendant[ Consent letter of Guaratnees]
13] 22-12-2017 Plaintiff Sanction order by plaintiff Bank Original
14] 22-12-2017 Plaintiff and Letter of consent by the D1 &D2 Original.
defendants
15] 22-12-2017 Plaintiff and D.P.Note executed by defendants Original
defendants `
16] 22-12-2017 Plaintiff and Consent letter from D1 for disclosure of Original
defendant Information to CIBIL
17] Plaintiff and Property statement Original
defendant
No.1
18] 22-12-2017 Plaintiff and Consent letter from D2 [Guarantor] for Original
Guarantor disclosure of Information to CIBIL
19]. Plaintiff and Property statement Original
defendant
No.1
20] 22-12-2017 Plaintiff and Bank rights to cannel limits Original
defendants
21] 22-12-2017 Plaintiff and Composite loan agreement Original
defendants
22] 11-12-2017 Plaintiff and Extension of Memorandum of deposit of Original.
defendants title deed bearing Doc. 14301/2017
23]. 22-06-2021 Plaintiff Ledger extract of ABPTL Copy
24]. 23-06-2021 Plaintiff Ledger extract HLAPGN Loan Copy.
25]. 23-06-2021 Plaintiff Bank authorization letter Copy
PLAINTIFF.
IN THE COURT OF THE PRINCIPAL JUNIOR CIVIL JUDGE .ALAMPUR.
O.S.No. /2021.
Union Bank of India, [ Ears’t while Andhra Bank] a Body -------- Plaintiff.
corporate constituted under Banking Companies (Acquisition &
Transfer of Undertakings) Act, 1970 having its Head Office at
239, Vidhan Bhavan Marg, Nariman Point, Mumbai- 400021
and one of its branch offices at Rajoli, Jogulamba Gadwal
District. by its Branch Manager.
Versus
1]. Munagara.Umadevi ------ Defendants
2]. M.Sivakumar
VERIFICATION AFFIDAVIT OF THE PLAINTIFF IN SUPPORT OF PLEADINGS
U/S 26 [2] R/W 0.6.R.15.(4) OF C.P.C.
I,Chimakurthi Srinivasa Rao, S/o. CH.Narasimha Rao, aged about 56 years, Hindu,
working as Senior Branch Manager, Rajoli Branch[ E.ANDHRA BANK] , Jogulamba
Gadwal District, do hereby solemnly affirms and states as follows;
1]. I state that I am working as manager of the plaintiff bank and I am acquainted with the
facts of the case. I am giving this affidavit basing on the records available with the bank.
2]. I State that the contents of plaint filed along with this proof affidavit may be read as part
and parcel of this affidavit.
3]. I state that the defendant No.1 has borrowed a sum of Rs.10,00,000/- from the plaintiff
bank under ABPTL Loan Scheme to the property loan on 08-05-2017 by executing a loan
agreement in favour of the plaintiff bank as she was borrower and the defendant No. 2 as
Guarantor . The defendant No.1 hypothecated her property and D2 is as guarantor created
security by way of deposit of title deeds, and agreed repay the same in 120 monthly
installments.
4]. Again the defendant No.1 has borrowed a sum of Rs.10,00,000/- from the plaintiff bank
under HLAPGN Loan Scheme to the property loan on 22-12-2017 by executing a loan
agreement in favour of the plaintiff bank as she was borrower and the defendant No. 2 as
Guarantor . The defendant No.1 hypothecated her property and D2 is as guarantor created
security by way of deposit of title deeds, and agreed repay the same in 60 monthly
installments.
They failed to pay the suit amount. Hence the suit. The contents of the main plaint may be
read as part and parcel of this affidavit.
4]. I state and declare that what is stated in the above paragraphs and other pleading of the
plaint is correct to the best of my knowledge and information and nothing has been
concealed.
I pray the Hon’ble court may be pleased to pass a decree infavour of the plaintiff
bank and against the defendants for the suit amount, with future interest at contract rate, suit
costs, in the interest of Justice.
DEPONENT
Solemnly affirm and signed herein
at ALAMPUR on this 05-07-2021.… Before me.
ADVOCATE,ALAMPUR.
I/We____________________________________________________________________
do here by appoint and return in the above named advocates as our counsel in the
above m atter to appear for us in the above case and to conduct the same and all
proceedings upon any decree or order that may be passed therein and draw on our
behalf. We further empower the above advocate to appear in the above proceedings
till the final termination thereto and to receive notices on our behalf from the
appellant court. Court of Revision and Reference to the matter our counsel is at
liberty to entrust this case to any other counsel and is not bound to appear if the full
Certificate that the contents of this Vakalath were read over to the executants
perfectly to understand the same and signed his name in my presence.
Executed before me this 10th day of Oct 2017. at Kurnool.
ADVOCATE.
IN THE COURT OF JUDICIAL
MAGISTRATE OF FIRST
CLASS ATKURNOOL.
C.C.No. of 2017
Between:
G.Venkateswarulu ---- COMPLAINANT
AND
A.Shukur Miah ---- ACCUSED
VAKALATHNAMA FILED ON
BEHALF OF THE
COMPLAINANT.
APPEARING FOR :
COMPLAINANT.
ADDRESS FOR SERVICE:
This is a suit filed by the plaintiff State Bank of India Act,1955 having its Central office at
Mumbai ,a local Head Office at Guwahati, a Branch Office amongst other places of India at
Sivasagar, known as ONGC colony Branch of the State Bank of India duly represented by its
Chief Manager, who is also the principal Officer of the bank for recovery of an amount of
Rs. 2,76,045.22 (Rupees Two Lakh Seventy Six Thousand Forty Five and Twenty Two
paise) only from the defendant. The case of the plaintiff is that one Mrs. Boby Borah applied
for Housing loan vide loan application dated 09.11.2005. The plaintiff bank after due
enquiry and on being satisfied with the formalities sanctioned loan amounting to Rs.
2,79,889.00 (Rupees Two Lakh Seventy Nine Thousand Eight Hudred Eighty Nine) to Mrs.
Boby Borah . In due compliance with the formalities as required Mrs. Boby Borah executed
and signed Term loan agreement for a sum of Rs. 2,79,889.00 (Rupees Two Lakh Seventy
Nine Thousand Eight Hundred Eighty Nine) on 09.01.2006. The defendant also deposited
with the bank the title deeds and other collateral documents viz. Sale deed, jamabandi land
revenue payment receipts, NOC, Trace map etc. of the landed property measuring obigha 01
katha 10 locha covered by Dag no. 48(old) 780 (new) P.P. no. 118(old) 172(new) situated at
Molthadang (Decial) Gaon, Meteka Bongaon Mouza, Dist Sivasagar. The siad property was
mortgaged to secure the loan taken by the defendant. The plaintiff bank opened a term loan
account bearing account no. 10637353255 in the name of Mrs. Boby Borah and transferred
the said amount to Mrs. Boby Borah and accordingly the loanee availed the loan. After
availing the aforesaid loan Mrs. Boby Borah failed to pay the installments of the loan. The
plaintiff bank repeatedly demanded and asked the defendant to clear the dues. The defendant
did not take any positive steps. Due to non payment of the stipulated rate of installment, the
loan amount with accumulation of interest at the contractual rate has come to the rest at Rs.
2,79,889.00 (Rupees Two Lakh Seventy Nine Thousand Eight Hundred Eighty Nine) only
on 31.03.2011. Therefore the plaintiff has filed the instant suit for recovery of the loan
O.S.No. /2008.
Between:
And:
Plaintiff:—
The address of the Plaintiff for service of process, summons, notices etc. is as stated
………………………………
Defendant:—
The address of the defendant for service of summons, process, notices etc. is as stated
above.
* * *
1. The defendant borrowed a sum of Rs 50,000/-[ Rupees fifty thousand only] from the
personally repay the mortgage-money with interest at 24% p.a. on or before 09-12-
09.
2. The defendant failed to get the mortgaged property redeemed though time for
redemption as agreed in the mortgage-deed lapsed. Hence the plaintiff issued legal
mortgage-money.
3. Details of mortgage.—
if any :………………….
4. The value of the suit for purposes of Court Fee and jurisdiction is at Rs.
Particulars of valuation
–––––––––––
Total claim : Rs.
–––––––––––
5. The cause of action for the suit arose on……………………………… the date of
transaction, namely, the borrowal date and execution of Regd. Simple Mortgage
on…………………… when the Plaintiff issued legal notice to the Defendant and
at………………… where the transaction took place and the property is situated
6. The Plaintiff therefore prays that the Hon’ble Court may be pleased to pass a
(a) Directing the defendant to pay the suit claim amount with agreed rate of interest
I, the Plaintiff do hereby declare that the facts and particulars detailed above are all true
and correct to the best of my knowledge and belief and I sign this verification on this
Plaintiff.
Schedule
Verification
I, the plaintiff do hereby declare that the schedule shown above is true to the best of
my knowledge and belief and I sign this verification on this the………day of at…………
Plaintiff.
List of Documents
3. Reply notice
Place :
————