நடிகர் விஜய் சேதுபதி மீதான வழக்கு copy

IN THE COURT OF IX METROPOLITAN MAGISTRTE SAIDAPET
AT CHENNAI
C.M.P.NO. OF 2021

Maha Ghandhi M/A 43 Years
S/o. S.V Ghandhi
No. 1, Selvar OAK Naveen,
North Avenue, Srinagar Colony,
Saidapet, Chennai – 600015. —–Complainant
—-Versus—-
1. Vijay Sethupathi
Having Office at
Vijay Sethupathi Productions
No. 33 – 17, Poochi Athipedu,
ThiruNagar,
Valasaravakkam,
Chennai – 600087.

2. Johnson
Rep by its Manager
Vijay Sethupathi Productions
No. 33 – 17, Poochi Athipedu,
ThiruNagar,
Valasaravakkam,
Chennai – 600087. ——Accused

COMPLAINT FILED U/S 200 CR.P.C FOR THE OFFENCE PUNISHABLE U/S 294(b), 323, 500 and 506(1) OF I.P.C

1. The Complainant is Maha Ghandhi S/o S.V Ghandhi Hindu, Male aged about 43 years residing at No.1, Selvar OAK Naveen, North Avenue, Srinagar Colony, Saidapet, Chennai – 600015.

2. The address for the service of all notice and processes on the complainant is that of their counsel M/s L.Infant Dinesh M/s 1286/07,R.Surendar M/s 492/16,A.John M/s638/11 and K.Ragavan M/s 2792/18 Advocates at No.1L, First Floor, Gaiety Palace, Mount Road, Chennai-600 002.

3. The First Accused is Mr. Vijay Sethupathy having Office at Vijay Sethupathi Productions,No.33 – 17, Poochi Athipedu, ThiruNagar, Valasaravakkam, Chennai – 600087.

4. The Second Accused is Mr.Johnson Manager of Vijay Sethupathi Productions,No.33 – 17, Poochi Athipedu, ThiruNagar, Valasaravakkam, Chennai – 600087.

5. The Complainant humbly submits that he is an actor by profession in Tamil Cinema Industry for several years and residing at the above-mentioned address.

6. The Complainant humbly submits that he had travelled to Bangalore on 02nd November 2021 for his medical check up scheduled at Mysore through Air Asia flight no. 152462 and seat No.32B. The flight had reached Bangalore at about 11.30 pm and the complainant had went to the baggage collection belt. At such instance he had surprisingly met Vijay Sethupathi a Tamil film actor and the complainant had wished him success for his achievements. For which the actor gave derogatory reply belittling the complainant status in front of common public.

7. The complainant humbly states that, he was shocked by the reply and he further stated that he also from the same part of Tamilnadu and he tried to substantiate that he don’t deserve such derogatory treatment of him on which there was heated arguments between them since Vijay Sethupathi had belittled the complainant caste, leader and his origin, which made the complainant get agitated by the same and thereby the complainant threw harsh warning without derogating Vijay Sethupathi dignity to mind his behaviour in public and had left the place.

8. The Complainant humbly submits that subsequently in a short while when he was trying to exit the Airport, the Actor Vijay sethupathi(Accused.no.1) had instructed his friend/ manager who had accompanied with him and on his instruction a person unknown to the complainant later known as Johnson(Accused.no.2) had badly hit complainant then wording that he would face death.
9. The Complainant humbly submits that when he dare to question Vijay sethupathi and he had strongly blown complainant over the ear. The Complainant was totally blanked and had sat over the surface for sometime and further had tried to defend but in vein.

10. The Complainant humbly submits that he had returned back to Chennai and had heard that there were news over media that vijaysethupathi was tried to attack of which the actor had given derogatory interview against Complainant as he was in drunken state inebriated.

11. The Complainant humbly submits that on 06.11.2021, he had given a interview genuinely narrating the incident of which again the actor suppressing his criminal activity had made a false allegation as he was in inebriated situation and had defamed complainant name in midst of general public and before his family members and relatives.

12. The Complainant humbly submits that Since such date he was under undue pain in his ears and later on 08.11.2021 when he visited the doctor for checkup he found out that he had been succumbed to grevious injury of ear tear.

13. The Complaint humbly submits that act of the Vijay sethupathi is so harsh and shows his illegal influence to attack a innocent public like complainant and defame complainant reputation before the general public to safeguard his own skin.

14. The above accused had mens-rea for committing the above mentioned offence knowing fully well the consequences of their actions.

It is therefore prayed that this Hon’ble court may be pleased to take this complaint on file and take cognizance of the case, issue summons to the accused, prosecute and punish them for the offence punishable under 294(b),323,500 and 506(i) of I.P.C in accordance with law and thus render justice

Counsel for Complainant Complainant
VERIFICATION

I,Maha Gandhi ,S/o S.V.Gandhi ,the complainant herein state the facts mentioned above in para 1 to 14 as true.

Dated at Chennai on this the 11th day of November 2021

Complainant
LIST OF WITNESS

1. Maha Gandhi
2. Nithya Lakhsmi
3. A. Venkatesh

LIST OF DOCUMENTS
S.NO DATE DESCRIPTION PAGE.NO
1 02.11.2021 Flight ticket – Boarding Pass 1 – 2
2 08.11.2021 Medical Report 3
3 Petitioner ID Proof 4
4 News Paper article 5 –

Dated at Chennai on this the 11th day of November 2021

Counsel for Complainant Complainant

ADDRESS OF PARTIES:
Complainant Maha Ghandhi M/A 43 Years
S/o. S.V Ghandhi
No. 1, Selvar OAK Naveen,
North Avenue, Srinagar Colony,
Saidapet, Chennai – 600015.

Accused Vijay Sethupathi
Having Office at
Vijay Sethupathi Productions
No. 33 – 17, Poochi Athipedu,
ThiruNagar,
Valasaravakkam,
Chennai – 600087.

Johnson
Rep by its Manager
Vijay Sethupathi Productions
No. 33 – 17, Poochi Athipedu,
ThiruNagar,
Valasaravakkam,
Chennai – 600087.
Complainant

IN THE COURT OF XXIII MM SAIDAPET AT CHENNAI
C.M.P.NO. OF 2021

Maha Ghandhi M/A 43 Years
S/o. S.V Ghandhi
—-Complainant
—-Versus—-
1.Vijay Sethupathi
Having Office at
Vijay Sethupathi Productions
No. 33 – 17, Poochi Athipedu,
ThiruNagar,
Valasaravakkam,
Chennai – 600087.
2.Johnson
Rep by its Manager
——Accused

COMPLAINT FILED U/S 200 CR.P.C FOR THE OFFENCE PUNISHABLE U/S 420, 465, 468,469,470 R/W 120-B OF I.P.C

M/s
L.Infant Dinesh M/s 1286/07
R.Surendar M/s 492/16
A.John M/s 638/11
K.Ragavan M/s 2792/18

Counsel for Complainant
PH:9787368395

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