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Cheque Bounce Legal Notice Format

This legal notice is regarding a bounced cheque. [1] The notice is addressed to two individuals who had purchased goods and issued a cheque that bounced due to insufficient funds. [2] Despite assurances of cash payment, the cheque amount was not paid when deposited multiple times. [3] The notice alleges that the cheque was intentionally issued without sufficient funds, constituting fraud, and demands payment of the cheque amount plus fees within 15 days or legal action will be pursued.

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70% found this document useful (27 votes)
117K views2 pages

Cheque Bounce Legal Notice Format

This legal notice is regarding a bounced cheque. [1] The notice is addressed to two individuals who had purchased goods and issued a cheque that bounced due to insufficient funds. [2] Despite assurances of cash payment, the cheque amount was not paid when deposited multiple times. [3] The notice alleges that the cheque was intentionally issued without sufficient funds, constituting fraud, and demands payment of the cheque amount plus fees within 15 days or legal action will be pursued.

Uploaded by

mohan kumar
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
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Download as DOCX, PDF, TXT or read online on Scribd
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REGD.

AD/SPEED POST/COURIER

DATED: __/__/_____

To,

1. [Name],
[Designation],
[Address]
[Pin code]

2. [Name],
[Designation],
[Address]
[Pin code]

LEGAL NOTICE

Sir/Madam,

Under instruction from and on behalf of my client CLIENT NAME


S/o CLIENT’s FATHER’s NAME R/o ADDRESS (hereinafter referred
to as “my client”). I do hereby serve you with the following legal notice:

1. That you issued my client a Cheque No___ ___ dated __/__/____.


For the sum of Rs________/-, [In words] against the goods
purchased by you vide Bill No____ dated__/__/____.

2. That the said cheque was presented by my client at CLIENT BANK


NAME, CITY for credit in his account in the month of MONTH
AND YEAR itself, but it bounced due to insufficient funds. My
client hereinafter contacted you and was assured of cash in lieu of
the bounced Cheque, therefore, my client did not take legal action
earlier.

3. That my client thereafter again requested many a time to you for the
payment of the said cheque amount by telephone and/or through
personal visit of his representative, but in vain.
4. That in MONTH/YEAR, my client again tried depositing the cheque
with CLIENT BANK NAME, CITY but it was again returned as
unpaid with remarks – Funds Insufficient, vide DRAWER BANK
NAME memo dated__/__/____.

5. That, it appears that  in order to cheat and defraud my client and


without any intention on your part to pay my Client you  had
deliberately and intentionally issued the aforesaid Cheque,
knowingly that  it was bound to be dishonored, on account of
‘Insufficient funds’ in your bank Account.

6. That your said act and conduct rendered yourself liable to be dealt
with under the provisions of Section 138 Negotiable Instrument Act,
besides rendering yourself liable to be punished for the offence
under Section 406/420 of IPC

By means of this legal notice, I hereby call upon you, to pay the
cheque amount of Rs. ____________/- (Rupees [In Words]) to my
client within 15 days from the date of receipt of this notice failing
which I have clear instruction from my client to take appropriate
legal action against you in the competent court of law at your risks,
costs and consequences. You are also liable to pay Rs. _______/- as
fee of this notice.

Copy retained in my office for further references.

(Advocate’s Name)
Advocate
[City]
[Date]

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