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Property preservation application
Property preservation application

Nowadays, various applications appear frequently, and in writing, applications also have certain formats. But do you know how to write it? The following is my application for property preservation for your reference only, and I hope it will help you.

Application for property preservation 1 Applicant: Jiang xx, male, Han nationality, 19xx was born on February 9, and now lives in Hyatt Garden, Xiaodongmen, xx District. Id number: xxxxxx Applicant: xxx, male, Han nationality, 10/9xx1/kloc-0, born on the 9th, and now lives at No.52, xxX Bay, XX District. IdNo。 : xxxxxxx Respondent: Respondent: xxx, male, Han nationality, born in June 65438 +09xx 65438 +071October 65438, living in xx Town, xx County, xx Province. IdNo。 : xxxx Respondent: Hubei xxxx Development Group Co., Ltd. with the address of 8 1 Qilimiao, Hanyang District. Legal representative: legal representative: XXX Respondent: Respondent: XXX, male, Han nationality, born on June 25th, 1963, living at No.60, majiawan, lianhua bridge, Zhengdian Town, Jiangxia District, Wuhan. IDNo.: 42012219630625516 Security matters: Security matters: request to freeze the bank deposit of RMB 2,656,600 in the name of the respondent or seal up the equivalent property according to law.

Facts and reasons:

The applicant is going to bring a lawsuit to your institute on the loan dispute with the respondent. As it is found that the valid assets of the respondent will be auctioned, we now apply to your hospital for pre-litigation property preservation according to the relevant provisions of the Civil Procedure Law. Thank you for your permission!

I am here to convey

Hongshan district people's court

Applicant: XXX

XXXX year x month XX day

Property preservation application 2 Applicant:

Respondents:

Requested items:

1. Request to detain a small car with the license plate number of Ji XXX according to law, and apply for the preservation amount of 65,438 yuan +0.5 million yuan;

2. The respondent shall bear all safety expenses.

Facts and reasons:

20xx At 22: 55 on February/KOOC-0/6, the respondent was driving a small car named Ji BXXX (passenger Mu Mou), and when driving from north to south along Xinghua Road to the intersection of Jianshe Street, it collided with a small ordinary bus named Ji AXXX driving from west to east along Jianshe Street, causing the applicant to be injured and hospitalized.

In order to safeguard the legitimate rights and interests of the applicant, the applicant hereby applies to your hospital for pre-litigation property preservation in accordance with the relevant provisions of the Civil Procedure Law. Request to detain the small car BXXX driven by the respondent according to law.

Guarantee method: the applicant submits 6,543,800 yuan+0.5 million yuan in cash as guarantee.

I am here to convey

_ _ _ _ _ People's Court

Applicant: _ _ _ _ _ _

_ _ _ _ _ _ _ _ _ _ _ _ _ _ _

Attachment: Property clues:

1. The respondent's vehicle was parked in the garage of his residence (_ _ _ _ _ _);

2. The applicant will provide a car worth about RMB 10,000 as a guarantee.

Property preservation application The structure of property preservation application consists of five parts:

1. Name of property preservation application. According to the classification, two names should be marked: if it is pre-litigation preservation, it should be marked-apply for pre-litigation property preservation _; Where property preservation is involved in the litigation process, an application for property preservation in litigation shall be marked.

2. Basic information of the applicant and the other party (or the respondent). If a citizen is a citizen, the basic information of the applicant and the other party should be stated, namely: name, gender, date of birth (if the other party's date of birth is really unknown, you can write down the approximate age), nationality, native place, occupation, work unit and position, address, etc. If it is a legal person or other organization, it shall specify the name, address, name and position of the legal representative or principal responsible person.

3. The applicant's request. This is one of the main parts of this application. The request must state what kind of property of the respondent (or the other party) will be retained.

4. The facts and reasons for the applicant's request for property preservation. This is the second major part of the application. This part of the application shall specify the facts of the case and the reasons for requesting preservation. In the case of pre-litigation property preservation, it is necessary to explain the necessity of pre-litigation preservation, and explain that if pre-litigation preservation is not taken immediately, the legitimate property rights and interests will be irretrievably damaged.

In the case of litigation property preservation, it must be stated that if litigation property preservation is not adopted, the judgment may be impossible or difficult to execute. It should also specify which legal provisions are cited as the legal basis for property preservation. At the end of the reason part, it should be stated that the applicant's application is wrong, and if the property preservation causes losses to the respondent, the applicant shall be liable for compensation. If the applicant provides a guarantee, it shall also explain the type and amount of the guarantee.

5. It's over. Its main contents are as follows:

The name of the people's court submitted in the application;

(2) the name and number of copies of the attachment;

③ Signature or seal of the applicant; If it is a legal person or unit, it shall indicate its full name and affix the official seal of the unit;

(4) Indicate the date of application-year, month and day. The basic writing of the application for property preservation is detailed, appropriate, accurate and clear. The most important thing to write the name of this application is to distinguish between categories and be accurate. The basic information of the applicant and the respondent in this application shall be concise, accurate and clear.

The statement of matters, facts and reasons required in this application shall be clear, specific, unambiguous, detailed, fully justified, logical and reliable.

The handwriting at the end of this application is complete, unmistakable, solemn and clear.

Litigation property preservation application

(Application for property preservation before litigation)

Name, gender, date of birth, nationality, native place, occupation, work unit, position and address of the applicant.

Respondent (or opposite party): name, gender, date of birth, nationality, native place, occupation, work unit, position and address.

(If it is a legal person or other organization, specify the name, address, name and position of the legal representative)

Requested items:

Facts and reasons:

I am here to convey

People's court

Attached:

Applicant:-

(If it is a legal person or unit, the full name should be written and stamped with the official seal of the unit. )

Year-month-day

Application for litigation preservation

Applicant: Li XX. Male, 50 years old, Han nationality, from XX city, a worker in XX plastic factory.

Respondent: Zhang XX, male, 60 years old, Han nationality, from XX city, a worker in XX plastic factory.

In the case of the debt between the applicant (appellant) and the appellee (appellee), the people's court of XX District of XX City made a civil judgment of (86) Min ZiNo. 15, and the applicant refused to accept it and appealed to your hospital. The respondent Zhang XX made all the deposits in XX District. The respondent may conceal the bank deposit. In order to facilitate future implementation, please find out the situation, take property preservation measures and freeze its deposits.

I am here to convey

Xx Intermediate People's Court

Applicant: Li XX

1986 1.5

4. Pre-litigation property preservation application

Applicant: _ _ _ _, gender: _ _, nationality: _ _, born in _ _.

Domicile: _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _.

Work unit: _ _ _ _ _ _ _

Tel: _ _ _ _ _ _

Respondent: _ _ _ _, gender: _ _, nationality: _ _, born on _ _ _ _.

Domicile: _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _.

Work unit: _ _ _ _ _ _ _

Tel: _ _ _ _ _ _

Request: such as freezing the bank deposit of the respondent 10000 yuan.

Facts and reasons:

In order to avoid property losses and safeguard the applicant's legitimate property rights and interests, according to the provisions of Article 93 of the Civil Procedure Law of People's Republic of China (PRC), an application for pre-litigation property preservation was filed with the people's court, requesting to freeze the respondent's bank deposit of RMB 10000 yuan. The applicant is willing to use his own property as a guarantee.

I am here to convey

People's court

Applicant:

date month year

Attachment: the account number and property status of the respondent.

1、

2、

Application for property preservation 5 The function of property preservation is to prevent the parties from disposing of the disputed subject matter before the people's court makes a judgment or disposing of the property available for execution after the judgment takes effect, so as to prevent the dispute from expanding and ensure the effective judgment to be executed. Therefore, when writing an application for property preservation, we should pay more attention to the risk of the other party's transfer of assets and the importance of property preservation. Requested items:

1. Request to detain a small car with Ji brand of the respondent according to law, and the amount of application for preservation is RMB xxxx million;

2. The respondent shall bear all safety expenses. Facts and reasons:

When applying for property preservation, the applicant must fully demonstrate and explain the legality and necessity of property preservation. In practice, some applicants' applications are too simple, the facts and reasons are not sufficient, they are not in line with the objective reality, and they rely entirely on their own wishes and have no rules. In this case, the court may request a new application or even reject the application. _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ Request to detain the small car driven by the respondent according to law. Guarantee method: the applicant submits 6,543,800 yuan+0.5 million yuan in cash as guarantee. Bring a lawsuit to the people's court of the applicant _ _ _ _ _ _ _ _

1. The respondent's vehicle was parked in the garage of his residence (_ _ _ _ _ _);

2. The applicant will provide a car worth about RMB 10,000 as a guarantee.

Applicant Zhao XX, female,1born on June 6, 1947, Han nationality, lives in the dormitory of Grain and Oil Management Office in XX Town, XX County, Xuzhou City1×××××, and the telephone number is 136×××× 18.

Respondent Wang Xx, female, 1973, 19, born in April, Han nationality, lives in the dormitory of Building 3, XX Street, XX Town, XX County, Jiangsu Province, and the telephone number is134××××× 54××××× 40.

Requested items:

1. Request to detain a Dongfeng Citroen car with license plate number Su CP 1××8 according to law, and the amount of application for preservation is RMB 60,000;

2. The respondent shall bear all safety expenses.

Facts and reasons:

20xx On May 22nd, the respondent's vehicle (Su CP 1××8 Dongfeng Citroen sedan) and the applicant had a traffic accident in the south of Pangzhuang vegetable market, causing the applicant to be injured and hospitalized.

In order to prevent the respondent from transferring property and safeguard the legitimate rights and interests of the applicant, according to relevant laws and regulations, our hospital specially applied to your hospital for pre-litigation property preservation. Request your hospital to detain the respondent's accident vehicle according to law.

I am here to convey

Xuzhou Jiuli District People's Court

Applicant: ××

XxXI,XX,20XX

Applicant for property preservation 7: xxx, male, born in19816, Han nationality, household registration address: Guzhuang Group, Meiwan Village Committee, Fogesi Town, xx County, Henan Province, ID number: 412828/kloc-.

Authorized Agent: xxx, male, lawyer of Guangdong xx Law Firm.

Respondent: XX Jinzhong Express Logistics Co., Ltd.

Legal address: Floor 1, No.2 Factory Building, Donglongxing Science and Technology Park, Huaning West Road, Dalang Community, Dalang Street, Baoan, Shenzhen (office space), organization code 672975 19.

Legal Representative: xx

Request: Request your hospital to extend the time limit for sealing up the respondent's bank account in Civil RulingNo. 165438+20xx.

Facts and reasons:

Your hospital is hearing the case of the applicant v. the respondent's dispute over recourse to labor remuneration. 16 On February 6th, your institute made a civil ruling of (20xx) Shen Bao Fa Min YiNo. 1 157 according to the applicant's application, and ruled to seal up the bank account of the respondent.

The case has not yet been concluded, and once the seizure is lifted, it will cause losses to the applicant. According to the relevant provisions of the Civil Procedure Law, we now apply to your hospital to extend the period of property preservation, in order to prevent the respondent from transferring the property after the expiration of the period of sealing up and freezing, so as to avoid legal responsibility. We urge your hospital to handle it according to law.

I am here to convey

XX District People's Court of XX City

Applicant: xxx

20XX July 25th

Objection 8: Lv Jianlin, male,1born on September 3, 975, Han nationality, registered at No.288 Kuocang Road, liandu, Lishui City, Zhejiang Province, now lives in Zone 3, Group 6, Silkworm Village, Jiubao Town, Jianggan District, Hangzhou 19 1, and his ID number is 33252XXXXXXXXX.

(20xx) During the execution of Hangxi ShangchuziNo. 127 civil ruling, your hospital mistakenly seized the BMW with the license plate A730YE owned by the dissident as the property of the person subjected to execution, and the dissident raised this execution objection according to law.

Requested item

We request your hospital to suspend the execution and lift the sealing-up measures against the Zhejiang A730YE license BMW.

Facts and reasons

When handling the registration of Zhejiang A730YE car, the dissenter found that your hospital had dynamically sealed up the car according to the civil ruling of (20xx) Hangxi ShangchuziNo.. 127. The dissenter thinks that the vehicle belongs to Pan Jinxia, and your hospital should not seal it up as the property of Pan Jinxia in this case. The specific factual reasons are as follows:

Before March 25th, 20xx, Pan Jinxia had transferred the car of Zhejiang A730YE to the dissident, and the dissident paid the transfer price to Pan Jinxia, who delivered the car to the dissident. On March 25th, 20xx, the dissident obtained the unified invoice for the sales of used cars of Zhejiang A730YE brand, and went through the formalities of vehicle transfer. However, because the Hangzhou Municipal People's Government issued the Notice of Hangzhou Municipal People's Government on Implementing the Regulation and Management of the Total Passenger Cars (Hangzhou Zheng Han (20xx) No.55), Article 6 of the Notice stipulates that the registration, transfer and change registration of passenger cars transferred to this city will be suspended from 0: 00 on March 26th to 24: 00 on April 25th. Therefore, the dissenter cannot handle the corresponding change registration in time. Later, on April 5, 20xx, the dissenter obtained the notarial certificate (20xx) Hang Zhi Zheng Zhen Zi No.2668 issued by zhijiang city Notary Office. The notarial certificate also proves that the dissenter went through the formalities of motor vehicle transfer before 0: 00 on March 26th, 20xx.

The dissident thinks that although the dissident failed to register the change of motor vehicle owner before the seizure of your hospital, it was all caused by the sudden introduction of new regulations by the Hangzhou Municipal Government, not the dissident's reason, and the dissident had already issued an invoice and handled the transfer formalities before the date stipulated by the policy, but the seller actually delivered and occupied the purchased vehicle. Therefore, the dissident has become the owner of Zhejiang A730YE before March 25th, 20xx. Your hospital's seizure of the vehicle after this is a seizure error, and according to the provisions of Article 227 of the Civil Procedure Law, the execution of the subject matter shall be suspended.

According to the above factual reasons, the objector hereby submits an objection application to your hospital according to law, hoping that your hospital will suspend the execution of Zhejiang A730YE car and lift the seizure measures according to law.

Applicant: xxx

20xx year x month x day

Property preservation application 9 Applicant: xxxx, domicile: xxxx.

Person in charge: xxxx, that is, xxxx.

Respondent: xxxx, male, born on xxxx, xxxx, Han nationality, living in xxxx,

Id number: xxxx. It's xxxx

Requested item

1. Request to seal up, detain and freeze all the property of the respondent with the value of xxxx.

2. The respondent shall bear all safety expenses.

Facts and reasons

On xxxx, 20xx, the defendant signed a loan contract with the plaintiff (see the loan contract for details), stipulating that the defendant would borrow xxxx yuan from the plaintiff for a period from xxxx, xxxx, xxxx to xxxx, and then the defendant issued a receipt on xxxx, xxxx, 20xx (see the receipt for details). After the loan expired, the defendant still failed to fulfill the repayment obligation as agreed, despite the plaintiff's repeated claims.

In order to prevent the respondent from transferring funds and realize the legitimate creditor's rights of the applicant, we now apply to the people's court for property preservation, and request the people's court to seal up, detain and freeze all the property of the respondent worth xxxx yuan.

The applicant is willing to use a property in xxxx as a property preservation guarantee.

I am here to convey

Xxxx people's court

Applicant:

Xxxx,xxxx,xxxx。

Property preservation application 10 applicant: name, gender, age, nationality, place of origin, occupation, residence and contact information.

Respondents: name, gender, age, nationality, native place, occupation, residence and contact information.

Requested items:

2. Request the court to seal up the property of the respondent in _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _.

Facts and reasons:

On June 65438+1 October 65438+February 20, the respondent signed a loan contract with the applicant, with a loan of RMB10.2 million, a loan term of1month and a monthly interest of 2 points. On the same day, the applicant transferred the loan of RMB 654.38+RMB 200,000 to the respondent's account by bank transfer. One year later, the respondent failed to repay the principal and interest as agreed. After repeated reminders from the applicant, the respondent still refused to repay the interest.

In order to prevent the respondent from transferring funds and realize the legitimate creditor's rights of the applicant, according to Article 92 of the Civil Procedure Law of People's Republic of China (PRC), we now apply to the people's court for litigation property preservation and request the people's court to seal up the respondent's property to ensure the realization of the applicant's creditor's rights.

I am here to convey

_ _ _ _ District People's Court

Applicant: _ _ _ _ _ _

_ _ _ _ _ _ _ _ _ _ _ _ _

Property preservation application 1 1 Applicant:

Respondents:

Requested items:

1. Request to freeze the salary in the respondent's account _ _ _ _ _ _ according to law;

2. The respondent shall bear all safety expenses.

Facts and reasons:

On _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _.

I am here to convey

_ _ _ _ _ People's Court

Applicant: _ _ _ _ _ _

_ _ _ _ _ _ _ _ _ _ _ _ _ _ _

Attachment: Property clues:

Salary account number of the respondent: _ _ _ _ _ _ _.

Property preservation application 12 Applicant: Sun, male,19860/KLOC-0, born in June, Han nationality, now living in Jiangshan South Road, Boshan Economic Development Zone, Tel:1536306 * * *.

Respondent: xx Co., Ltd., located in Economic Development Zone * * *, legal representative xx, tel: 1220209 * * *.

Requested items:

Request to seal up the account of the respondent according to law (9020 10240454205 * * * * * *). The account was opened by Hongdayao Sub-branch of Boshan Huangdao Rural Cooperative Bank, and the amount of application for preservation was RMB 40,000;

Facts and reasons:

20xx 65438+ 10/month 1, the applicant signed a labor contract with the respondent, and the respondent has not paid the applicant's salary and related expenses so far. On August 20xx 10, the Labor Dispute Arbitration Committee of Boshan Economic and Technological Development Zone filed an application for labor dispute arbitration, and the Committee filed a case.

In order to prevent the respondent from transferring property and safeguard the legitimate rights and interests of the applicant, (legal document) hereby applies to your institute for pre-litigation property preservation. Request your hospital to seal up the account of the respondent according to law. If the wrong application for preservation causes losses to the respondent, the applicant voluntarily compensates the respondent for the corresponding losses.

I am here to convey

People's Court of Qingdao Economic Development Zone

Applicant:

20xx-6- 10

Property preservation application 13 Applicant: _ _ _ _ _ _ _

Address: _ _ _ _ _ _

Legal Representative: _ _ _ _ _ _

Defendant: _ _ _ _ _ _ _

Address: _ _ _ _ _ _

Legal Representative: _ _ _ _ _ _ _

Requested items:

Apply for lifting the seizure of the respondent's bank account.

Facts and reasons:

After accepting the dispute over the sales contract between the applicant and the respondent, your hospital sealed up and preserved the bank account of the respondent.

At present, the applicant and the respondent have reached a preliminary settlement, and the applicant proposes to lift the seizure of the respondent's bank account.

I am here to convey

_ _ _ _ People's Court

Applicant: _ _ _ _ _ _

_ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _

Property preservation application 14 Applicant: _ _ _ _ _ _ _

apply for a project

Request to withdraw the application for pre-litigation property preservation.

Facts and reasons

Your hospital made a civil ruling with the word (), allowing the applicant to apply to your hospital for pre-litigation property preservation on _ _ _ _ _ _ _ _ Today, the applicant and the other party reached a _ _ _ _ _ _ _ dispute compensation agreement, which has been fulfilled. The cause of property preservation has been eliminated, and the applicant hereby requests your hospital to withdraw the above-mentioned pre-litigation property preservation application. Please approve.

I am here to convey

Salute!

Applicant: xxx

Date of application: xx, xx, XX.

Property preservation application 15 applicant:

Respondents:

The applicant and the respondent were in dispute on ××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××××

Request: (Specify attributes to keep)

Facts and reasons:

(Indicate the property to be preserved, including the relationship between the applicant and the respondent, the relationship between the applicant and the respondent, and the name, quantity, quality, shape, color, variety, location and current situation of the property to be preserved. The reasons for the application mainly state the infringement on the property that needs to be preserved, the importance and urgency of taking property preservation measures and the significance in the execution of the judgment). Evidence and sources of evidence:

Indicate the name, quantity and source of the evidence that can prove the application request. If there is a witness, the name and address of the witness shall be stated. (If the evidence is in the hands of the applicant, it shall be submitted to the court together with the application; If the evidence is not in the hands of the applicant, it shall provide evidence clues to the people's court)

I am here to convey

* * * * People's Court

Applicant:

date month year