New Civil Miscellaneous Application for preponment

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IN THE HON’BLE XXXXXX HIGH COURT, AT XXXXX

CM No.________ of 2025 IN

CWP No. xxxxxof 20xx

Name of Petitioners ….Petitioners

Versus

State of XXXXXX……..Respondents

Application under section 151 CPC praying for preponing the date of hearing from xxxxxxxx to some early date.

RESPECTFULLY SHOWETH:

  1. That the petitioners filed the aforementioned writ petition in this Hon’ble High Court and the same is now pending for xxxxxxxxx.                          ( From this para onwards state the facts of the case ,then state the reason why it is in interest of justice to prepone the date of hearing )
  2. That in the present case the petitioners have approached this Hon’ble Court as they belong to BCA and BCB categories respectively, but they were short listed considering them as General Category Candidates as their BCA and BCB Certificates were old and not as per the cut-off date. (Prayer in the main writ petition)
  3.  That the petitioners were good score in the CET examination and therefore, they could make out in the cut off for the general category for some posts, whereas if they were treated under their respective categories, then they would have been considered for more categories of posts.
  4. That with the same issue number of writ petitions were filed, even prior to holding of the written examination, raising the same issue of the candidates not been short listed in their respective categories for having attached a certificate of their categories, beyond their cut off date and they were provisionally allowed to participate in the written examination.
  5.  That after declaration of the result also, number of petitioners approached this Hon’ble Court, as they were belonging to BCA and BCB Categories, but they were short listed in different categories of posts, treating them as general category candidates, but they could not be selected, as in the General Category, cut off was higher than their scored marks, but if they were treated in their respective categories, then they have scored more marks than the cutoff of the selected candidates in their respective BCA and BCB Categories.
  6. That all these petitions were decided by this Hon’ble Court on xxxxxxxx in a bunch of writ petitions alongwith CWP NO.xxxxxx of xxxxxxx (Annexure P-x).
  7. That the same is the case of the petitioners, where they have not been considered in their respective categories of BCA and BCB respectively. Whereas they have secured more marks than the cut off marks of the last selected candidates in their respective category and the posts.
  8. That after passing of the Judgment dated xxxxxxx the respondents are in the process of implementation of the Judgment and therefore the petitioners prays that they may also be considered with all other similar candidates under their categories, while revising the selection/merit list. Therefore, the petitioner prays that in view of the present facts and circumstances of the present case, the date of hearing may kindly be preponed from xxxxxxxx to some early date.                                                                                                                                                                                                                                      It is, therefore, respectfully prayed that this application may kindly be allowed and the date of hearing in the present case may kindly be preponed from xxxxxxx to some early date, in the interest of justice.

NOTE: Affidavit is attached.

Place:  xxxxxxxxxxxxxxxxxxxxx                                                                                         

( Name of Advocate)

Enrll.No.xxxxxxxx         

NoR No. xxxxxxxx   

Advocates

Dated: xxxxxxxxxxxxxx                                                                                        

Counsels for the petitioners

 IN THE HON’BLE xxxxxxxxxxxxHIGH COURT, AT xxxxxx

  CM No.________ of 2025 IN

CWP No. xxxxxxxxx of 20xx

Name of Petitioners ….Petitioners

Versus State of   xxxxxx   and another……..Respondents

Affidavit of xxxxxx aged about xx years son of xxxxxxx, resident of xxxxxxxxxxxx, District xxxxx. Aadhar Card No.xxxxxxxxxxxxx.

I, the above named deponent, do hereby solemnly affirm and declare as under:-

  1. That the deponent is fully conversant with the facts of the present case and filing the present application which is likely to succeed on the grounds mentioned therein.
  2.   That the contents of the application as well as the affidavit were read over and understood to the deponent and the deponent after understanding the same has signed on this affidavit.
  3.   That the contents of the application are true and correct to the knowledge of the deponent. No part of it is false or misstated and nothing relevant has been kept concealed therefrom.

Place :xxxxxxxxxxx                                                         

DEPONENT   Dated : xxxxxxxxxxxxx                                    

 VERIFICATION :  Verified that the contents of the above affidavit are true and correct to my knowledge. No part of it is false and nothing has been concealed therein.

 Place : xxxxxxxxxxxx                                                                  

Dated : xxxxxxxxxxxxx     DEPONENT