ANTICIPATORY BAIL BEFORE SESSIONS JUDGE
In the Court of Sessions Judge at……………………………………………….
Criminal Misc. Case No. ………………………………………… of …………………………………….
In the matter of:
An application for anticipatory bail under section 438 of the Code of Criminal Procedure 1973
And
In the matter of:
…………………………………………………………. Petitioner
versus
The State of…………………………………………….. Respondent
The humble petition of the petitioner above-named
Respectfully showeth:-
1. That petitioner being a …………………….………………………….. working at………………………………………..
2. That relating with his sovereign duties he has to raid against criminals/anti-socials.
3. That some criminals of area, namely,…………………………………conspired to malign/harass your petitioner publicly by implicating him and lodging an FIR at the Police Station at…………………………
4. That petitioner being a …………………………… can not hide and if compulsory he shall co-operate in police investigation. Anticipatory bail be granted to petitioner. :
5. That if anticipatory bail is not allowed petitioner suffer irreparable injury.
6. That petitioner undertakes to obey all terms/conditions on passing order of bail.
Hence prayed that Your Honour will be pleased to allow the petitioner anticipatory bail and other order /orders as Your Honour deem fit and proper.
And for this act of kindness your petitioner shall ever pray.
Advocate of ………………………………….
Verification
I ………………………………….., son of …………………………………….….., resi………… ………………………………… do hereby solemnly affirm and say as follows:
1. I am the petitioner above-named. I know the facts and circumstances of this case.
2. The statements in paragraphs 1 to 6 hereinabove in the petition are true to ray knowledge and belief.
3. I sign this verification on this …………………………… at ……………………..
Solemnly affirmed by the said …………. on this………………..at…………….. .
Notary/Magistrate
Deponent