Kailash Soni - WS
Kailash Soni - WS
Kailash Soni - WS
PRADESH
HMA 262 OF 2023
IN THE MATTER OF:
POONAM SONI …PETITIONER
VERSUS
KAILASH SONI …RESPONDENT
3. That, the Petitioner and Respondent got connected to each other via a
leading/ well-known matchmaking and matrimony website. After
meeting a few times, they got married to each other on 16.04.2019 as
per Hindu rites, rituals, and customs in the city of Ghaziabad, Uttar
Pradesh in the presence of family, and close friends. That, the
Respondent finds it pertinent to mention herein that the ceremony and
rituals took place without the exchange of any gifts or valuable articles
between both families.
4. That, even though there was no exchange of gifts items, or any other
articles between the two families, the only condition that the
Petitioner’s family put before the Respondent’s family was to let her
continue her education without any breaks, to which the Respondent
and his family agreed readily as education is an important aspect of an
individual’s personality and growth – personally and professionally.
5. That, upon the completion of all wedding ceremonies and rituals, the
Respondent along with the Petitioner went to Mount Abu for their
honeymoon to celebrate their marriage where the Petitioner and
Respondent spent about 7 days. It is pertinent to mention herein that
upon return from Mount Abu, the Petitioner went back to her paternal
home in Ghaziabad, where she took admission in a college without
informing the Respondent. Furthermore, when the Respondent
confronted the Petitioner on this piece of information, i.e., regarding
her admission to a college, the Petitioner instead of clarifying her stand
on the said subject matter, she got abusive and got derogatory with the
Respondent and started using foul language against him. This
worrisome behaviour by the Petitioner was the onset of mental trauma
and agony for the Respondent.
6. That, during the stay of the Petitioner in her paternal home, the
Respondent was informed of the Petitioner’s pregnancy, and that it was
the Respondent who was bearing the whole expenditure of the
Petitioner’s pregnancy during her stay at her parental home in
Ghaziabad. That, one day while travelling, the Respondent upon
reaching Behror, Rajasthan received a call from the Petitioner’s father
informing that the Petitioner had gone into labour for delivery and that
the hospital would admit the Petitioner only upon an advance deposit of
₹10,000/- (Rupees Ten Thousand Only). That, upon a conversation
with the hospital administration and staff, the Respondent herein
shared details of a health insurance policy that he had availed and upon
sharing the complete details with utmost transparency the Petitioner
was admitted to the Hospital wherein on 17.02.2020, she then gave
birth to a healthy girl child.
7. That, upon the birth of their daughter, and after countless pleadings
and requests by the Respondent, the Petitioner then visited her
matrimonial home in Jaipur. That, in the month of August, 2020 after
the nation-wide lockdown eased, the Petitioner then again started
throwing tantrums of going back to Ghaziabad, to which the
Respondent objected and told her that travelling with a baby who is
only a few months, is very risky and unadvisable. It is pertinent to
mention herein that when the Respondent asked the Petitioner not to
travel during such tough times, the Petitioner instead of complying with
the Respondent’s concerns and requests again started misbehaving with
the Respondent and his family and subjected them all to very harsh
words and behaviour which were totally unacceptable from the
Petitioner.
8. That, in the month of May 2020, the Petitioner got pregnant again and
threatened to abort the foetus and left the matrimonial home for a few
hours without informing anyone. That, upon her return when the
Respondent enquired where she went, the Petitioner told the
Respondent that she doesn’t find it necessary to answer the respondent
and later asked him to commit suicide that both – Petitioner and
Respondent – can be free from the shackles of the relationship. It is
pertinent to mention herein that such acts of indecency and
misbehaviour from the Petitioner herein have only and only given
mental trauma to the Respondent and that his mental health remained
disturbed due to the behaviour meted out to him and his family by the
Petitioner.
10. That, upon hearing such cruel and derogatory words from the
Petitioner, the Respondent was mentally extremely shocked. That, upon
time and again requesting the Petitioner to come back, the Petitioner
put forth a weird condition to the Respondent; that she will only join
him back if the Respondent starts residing separately from his family.
The Respondent upon hearing this condition from the Petitioner refused
to accede to her condition owing to the fact that along with their first
daughter he also has responsibilities towards his aged parents which
may be ignored by staying away. That, upon hearing a refusal from the
Respondent, the Petitioner again started abusing the Respondent and
started using foul language against him and his family members. That,
such an unexpected outburst led to more mental trauma on the
Respondent as he had never in his wildest dreams imagined such
behaviour from the Petitioner.
12. That, the Petitioner has a persistent habit of dialling the police
helpline number 100. It is pertinent to mention herein that on one such
incident the Petitioner dialled the police helpline and got the
Respondent and his brother arrested in a false complaint. The Petitioner
after getting the Respondent arrested had stooped to another level
wherein she again called the helpline and asked them to arrest the
Respondent’s mother and sister too. However, when on 08.10.2021 the
Respondent and his brother were released from Police Custody, the
Petitioner again pressured the Respondent to separate himself from the
family, and reside in another accommodation with the Petitioner, and
left for Ghaziabad.
14. That, the Petitioner and Respondent during the course of time
kept on changing rented accommodations. It is pertinent to mention
herein that the time and again change of accommodations has been
primarily due to the bad and rude behaviour of the Petitioner towards
the landlords in whose tenanted premises the Petitioner and
Respondent resided.
15. That, during the COVID – 19 pandemic the Petitioner also had to
face a cut in his monthly pay, and that on such an occurring the
Petitioner instead of being sympathetic to the Respondent, she would
make fun of him and compare him to domestic helps. This created
serious and severe mental trauma to the Respondent, thus an onset of
depression began.
16. That, it is pertinent to mention herein that, on 07.02.2023 the
Petitioner has filed a false and frivolous FIR against the Respondent at
Nandigram Police Station, Ghaziabad bearing number 99 of 2023; which
got lodged on 10.02.2023. This FIR has been filed under Sections 498-
A, 323, 504, and 506 of the Indian Penal Code, 1860 and Sections 3
and 4 of the Dowry Prohibition Act, 1961. The Petitioner in the said FIR
wrongly alleges that the Respondent used to beat her, used abusive
words, asked for more dowry & gift articles, and also taunted her on a
regular basis that the wedding celebrations were not according to the
likings of the Respondent’s family.
17. That, owing to the above said incidents, the Respondent now
does not want to co-habit with the Petitioner, as he fears for his life,
and the precious lives of his family members, including his daughters. It
is pertinent to mention herein that upon learning about the
Respondent’s mental health and that he is suffering from Depression,
the Petitioner deserted the Respondent and walked out of the marital
home along with their younger daughter, and left the Respondent to
fend for himself.
18. That, the Petitioner has filed this instant Petition under S. 125 of
the Code of Criminal Procedure, 1973 who seeks maintenance from the
Answering Respondent. It is pertinent to mention herein that the
Petitioner has deserted the Respondent and their minor daughter
namely Naisha Soni/ Twinkle Soni; and is staying at her maternal home
without assigning any valid reason for neglecting her matrimonial
duties. It is submitted herein that Petitioner no. 1 is staying at her
maternal home along with other minor daughter namely Pooja Soni.
The Respondent herein has been deprived of love and affection towards
and from their younger daughter. It is pertinent to mention herein that
the Petitioner has deserted not only the company of the answering
Respondent but the Petitioner has also deserted their elder daughter
who is especially abled and is also having issues with hearing for which
the answering Respondent has to make himself available every now and
then in order to take care of the said minor child. It pertinent to
mention herein that due to the aforesaid medical issues of minor child
Naisha Soni/ Twinkle Soni the answering Respondent had to leave his
full-time job and started working as an advocate before the District
Court of Jaipur, hence, in view of the above the Petition is liable to be
dismissed with the exemplary costs on the Petitioner.
19. That Petitioner no. 1 has deserted the minor daughter with the
answering Respondent thereby ignoring the fact that the said minor
daughter is especially abled and is suffering from hearing disabilities
due to which the answering Respondent had to leave his full-time job at
Poonawala Finance Corp. Limited. The answering Respondent has
started practicing law in the office of and Advocate Shri. Shyam Sundar
Sharma and is getting a monthly stipend of Rs. 5,000/- (Rupees Five
Thousand Only) which is absolutely not sufficient for running day-to-day
expenses of the answering Respondent and his especially abled
daughter Naisha Soni/ Twinkle Soni. The answering respondent has had
to seek financial help from his younger brother and relatives. The said
petition is liable to be dismissed on this ground alone. Annexure - 1
PRAYER:
a) Dismiss the Petition preferred by the Petitioner with exemplary costs.
b) Pass any other order as this Hon’ble Court may deem fit and proper in the
interest of justice.
RESPONDENT
VERIFICATION:
Verified at New Delhi on this __ day of March, 2024 that the contents of the
above Written Statement are true and correct to best of my knowledge and
THROUGH: