Yog Raj 437
Yog Raj 437
ROHINI
COURTS, DELHI
IN RE:
STATE V/S YOG RAJ KAKKAR
S/O SH. SURENDER KUMAR
R/O F-5/209, GROUND FLOOR
SECTOR -16, ROHINI, DELHI
FIR NO.245/2020
U/S: 411/34 IPC
& 25/54/59 Arms Act
P.S.KNK MARG
J.C. 02/08/2020
APPLICATION FOR GRANT OF BAIL U.S.437 CR.P.C. ON
BEHALF OF ACCUSED/APPLICANT
YOG RAJ KAKKAR
MOST RESPECTFULLY SHOWETH:
1. That the applicant/accused is peace loving and law
abiding citizen of India and peacefully residing at
the above said address with his family.
2. That the applicant/accused was arrested by the
police officials of P.S.KNK MARG, in the above said
case.
3. That the applicant/accused was arrested in case E
FIR NO. 000477/2020, by the police officials of P.S.
KNK Marg on 02/08/2000 and this FIR , the
applicant get granted bail by this Hon’ble Court and
bail bond furnish and accepted but he could not
release from the Jail , thereafter the applicant
moved an application for status report regarding not
releasing the accused from Jail and thereafter the
said FIR/case came to the knowledge of the
applicant through the status report which is
planted by the police officials of concerned police
station.
4. That the investigation against the
applicant/accused has already been completed and
prosecution has no required for any further
investigation.
5. That the recovery has already been recovered but
nothing has been recovered from the possession of
the applicant/accused same is planted one.
6. That an undertaking shall be given by the counsel
to the effect that he will submit the physical copy of
the application/documents along with necessary
fees and charges applicable, when the court resume
it normally functioning before the Court concerned.
7. That the application must also contained separate
paragraph giving contents that the matter may
taken upto throw video conferencing mode using
CISCO WEBEX Meeting App.
8. That the applicant states that presently under the
Lockdown declared by the Government the family
members has suffered lot of problem. It is therefore
necessary and desirable in the interest of justice
that this bail application is required to listed and
heard through video conferencing treating the same
as Extreme Urgent.
9. That the applicant/accused is belongs from
respectable family and has full respect in society as
well as locality and due to the illegal arrest of the
applicant/accused in the above said case his family
members are suffering for daily bread and butter.
10. That the applicant/accused undertakes to abide by
any terms and conditions imposed upon him.
11. That the applicant/accused is ready to furnish the
sound surety bound before this Hon’ble court for
the satisfaction of this Hon’ble court
12. That the applicant/accused is hereby undertake to
produce himself before the Hon’ble Court as when
and directed.
PRAYER
It is, therefore, most respectfully prayed that
this Hon’ble Court may kindly be pleased to release
on bail to the applicant/ accused, in the interest of
justice.
APPLICANT/ACCUSED
( IN J.C)
DELHI
DATED: THROUGH
FIR NO.391/2015
U/S: 380/511/34 IPC
P.S.ALIPUR
DATE OF ARREST: 27/04/2015
APPLICATION U/S 440 CR.P.C. FOR REDUCTION OF
SURETY AMOUNT BY ON BEHALF OF
APPLICANT/ACCUSED LALLA @ RAGUDIN
APPLICANT/ACCUSED
(IN J.C.)
THROUGH
DELHI
DATED: COUNSEL