Special Leave Petition under Article 136 of the Constitution of India

 

IN THE SUPREME COURT OF INDIA
CIVIL APPELLATE JURISDICTION
SPECIAL LEAVE PETITION (CIVIL) No. ______ of 2025
(Arising out of the Judgment and Order dated ______ passed in Writ Petition No. ______ by the Hon’ble High Court of ______)

Between
[Petitioner’s Full Name]
Age: [Age], Occupation: [Occupation], Address: [Complete Address]

…Petitioner

AND

[Respondent 1’s Full Name]
[Complete Address]

… Contesting Respondent

[Respondent 2’s Full Name]
[Complete Address]

… Contesting Respondent

[Additional Respondents if any]

SPECIAL LEAVE PETITION UNDER ARTICLE 136 OF THE CONSTITUTION OF INDIA

To
The Hon’ble Chief Justice of India and His Companion Justices of the Supreme Court of India

The humble petition of the petitioner above named

MOST RESPECTFULLY SHOWETH:

  1. Facts Giving Rise to the Petition
    The present petition has been filed seeking special leave to appeal against the judgment and order dated ______ passed by the Hon’ble High Court of ______ in Writ Petition No. ______ titled “______ vs. ______.” The Hon’ble High Court dismissed the writ petition filed by the petitioner, thus necessitating the present appeal.

  2. Questions of Law
    The following questions of law arise for consideration:
    a. Whether the Hon’ble High Court was justified in dismissing the writ petition without adequately addressing the legal issues raised?
    b. Whether the Hon’ble High Court erred in interpreting the provisions of the ______ Act, specifically Section ______?
    c. Whether the authorities below acted in contravention of the settled principles of law regarding ______?

  3. Declaration in Terms of Rule 4(2):
    The petitioner states that no other petition for special leave to appeal has been filed by him against the impugned judgment and order.

  4. Declaration in Terms of Rule 5:
    The petitioner declares that the annexures filed along with the special leave petition are true copies of the pleadings and documents forming part of the record of the case in the court below.

  5. Grounds for Special Leave to Appeal
    This special leave to appeal is sought on the following grounds:
    I. Because the Hon’ble High Court erred in ______.
    II. Because the reasoning adopted by the High Court is contrary to established legal principles under Section ______ of the ______ Act.
    III. Because the lower authorities failed to consider crucial documentary evidence, including ______.
    IV. Because the interpretation of “transfer” under Section ______ of the ______ Act is inconsistent with established jurisprudence.
    V. Because the impugned judgment undermines the legislative intent of the ______ Act, particularly the social reform objectives envisaged therein.

  6. Grounds for Interim Relief
    The petitioner apprehends that the respondents may ______, thereby rendering the final decision infructuous. Immediate interim relief is necessary to prevent irreparable harm to the petitioner.

  7. Main Prayer
    Wherefore, the petitioner respectfully prays that this Hon’ble Court may be pleased to:
    a. Grant special leave to appeal against the judgment and order dated ______ passed by the Hon’ble High Court in Writ Petition No. ______; and
    b. Pass such other order(s) as deemed fit and proper in the facts and circumstances of the case.

  8. Prayer for Interim Relief
    Pending final disposal of this petition, it is prayed that this Hon’ble Court may kindly:
    a. Direct the respondents not to ______ or alienate the property described as ______.
    b. Pass such other order(s) as deemed fit and proper.

AND FOR THIS ACT OF KINDNESS, THE PETITIONER SHALL EVER REMAIN GRATEFUL AS IN DUTY BOUND.

New Delhi
Date of Drawn: ______
Date of Filing: ______

Drawn and Filed by:
[Name of Advocate]
Advocate for the Petitioner

[NOTE: To be supported by an affidavit]

 

Share this :
Facebook
Twitter
LinkedIn
WhatsApp