Madampaty Rangarajan / issue

[16/10, 10:23] Sekarreporter: . MATHAN RAJ, 11,A., B.L. (lions.) M
A VOCATE
Office : Cluunbcr :
No.6, “CHENNAI HOUSE.” // 329, Ncw Addl. Law Chambcrs
Annex Building 3rd Floor. Esplanade, I l Floor, High Court Buildings.
Broadway, Chennai – 600 104. Chcnnai – 600 104,
Dated: 15-10-2025
Mr. Madhampatty T.P. Rangaraj,
Plot No. 3 15, Link Street,
3rd Main Road, Nehru Nagar, OMR, Kottivakkam, Chennai — 600041.
Sir,
Under instructions from my client, Mrs. J. Joy, w/o Madhampatty
Rangaraj, residing at Flat No. 3F4, 3rd Floor, Baashyam Plutus Residence, Door No. 32, L.B. Road, Thiruvanmiyur, Chennai—600
041, I am constrained to issue the present legal notice to you:
l. My client states that she is in an advanced stage of pregnancy, after being cheated by you into a traditional temple wedding and pregnancy. My client is battling for her own rights and that of the unborn child against the injustice done to her by you by misusing the faith, love, and affection she reposed in you.
2. My client states that she was surprised and shocked by a public statement issued by you titled “From the Desk of Madhampatty
T.P. Rangaraj” and holds you responsible for the statement dated October 15, 2025, as it bears your signature. She also rejects the statement in toto for its audacious tone, defamatory content, and false claims. The said statement issued by you has been widely circulated on various social media platforms and major news channels, causing damage to the reputation of my client and to her stern efforts to seek justice against the injustice committed by you.
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All Correspondence to Office address only

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3. My client states that you are legally answerable and responsible for the abovementioned statelnent and is putting you to strict proof of the same, My client further states that there is no iota of truth in your claim that “several individuals have been approaching you to settle the ongoing dispute raised by my client outside the court of law” and your claim that “you will face this dispute in accordance with law and not in any other way as expected by my client.”
4. My client states that no one from her circle of well-meaning and public-spirited lawyers helping her to fight your financial, public arrogance, and self-denial, besides friends and family members, has ever contacted you for your so-called “settlement outside the court of law.” My client also contends that your further claim that it will not end in “any other way as expected by my client” only reveals your fear of the consequences awaiting you under civil and criminal law.
5. My client states that she trusts the law, courts, statutory bodies, the Government, and corporate industrial bodies, who will never let down a young woman who was cheated into marrying you and suffered forced abortions, and physical and mental assaults at your hands. My client is trying every legal means to bring you to book and to secure justice, not just for herself but also for the unborn child.
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6. My client states that the statement dated October 15, 2025, is nothing but a feeble and ill-advised attempt to cover up your wrongdoings and to derail the authorities and courts of law that are seized of the matters concerning you and her good self.
7. My client states that you have moved the Hon ‘ble Madras High Court only to secure your commercial interests and the so-called personality interests. In the guise of privacy and personality issues, you have tried to stop my client from revealing the truth behind the events that led to a traditional temple wedding between you and my client, and her repeated pregnancies, the last and only surviving one being the one she is carrying now. My client is about eight months pregnant and is fighting against your money power, muscle power, corporate power, and media power with the only weapon she has in her armoury her unshakeable faith in the law, courts, statutory bodies, corporate bodies, and the government.
8. My client states that as your two commercial suits filed against her one in the name of the company in which you are the director and the other in your name have not yielded the desired results of gagging the wronged woman and her unborn child, you have issued the present statement out of desperation to curtail her fight for justice. It is a blatant attempt to influence and derail ongoing legal and statutory proceedings against you by projecting a false picture to the public.
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9. My client states that while blaming the media and social media and asking them to stay away from the ongoing issue, you have chosen to use the same social media to unleash a false campaign against my client, desperately trying to build a false narrative that she is attempting to push you for a settlement outside the court of law.
10. My client states that the public statement issued by you on
15.10.2025 is an illegal and mala fide attempt to derail the legal proceedings initiated by the Hon’ ble Tamil Nadu State Commission for Women. Having received a summons from the Hon’ ble Commission to appear before it on 16.10.2025, the present statement released by you is only to falsely project that my client, who is a victim of your criminal behaviour, is trying to settle the issue out of the purview of ll aw for monetary benefit. This act of yours is defamatory in nature and also undermines the majesty of the legal forum in which my client is fighting against the injustice done to her by you.
l l . My client states that she has initiated appropriate legal proceedings against you for the criminal acts committed by you. Further, she has suitably responded to the legal proceedings initiated by you before the Hon’ ble High Court of Madras, where, with an ulterior motive, you have instituted commercial suits to escape criminal liabilities and to give the present issue a commercial colour. While she has taken appropriate legal recourse and statutory remedies available under law to fight for justice and to bring you under the rule of law for your crimes against her, there is no need for my client to send anyone to you seeking settlement outside the court of law because:
(a) My client has lodged a criminal complaint against you with the Chennai City Commissioner of Police, which has been referred to the jurisdictional police stations, where an FIR has been registered against you.
(b) My client has valiantly countered the two civil suits and their contents before the commercial court of the Hon’ ble Madras High Court.
(c) My client has moved the competent Magistrate Court for more appropriate remedies.
(d) My client has approached the Hon’ ble Tamil Nadu State Commission for Women seeking justice for herself and her unborn child. The Hon’ ble Commission has already summoned you to appear before it on October 16, 2025, and you released this statement on the eve of the Commission’s summons only to undermine, influence, and defame the complainant.
(e) My client has also approached the appropriate forum seeking performance of the paternal duties you owe to your unborn child.
(f) My client has also resolved to initiate further criminal and civil proceedings against you for your misdeeds.
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12. My client states that ever since your statement was intentionally released on social media, with criminal intent to defame my client and influence ongoing criminal, legal, and statutory proceedings in multiple forums, several friends, relatives, and well-wishers have been calling and messaging my client inquiring about the issue. This defamatory statement has been issued with criminal intention to influence and undermine the ongoing legal and criminal proceedings.
Therefore, on behalf of my client, I hereby call upon you (i) to withdraw the statement dated October 15, 2025, made on social media with a public apology within 24 hours of receipt of this notice; and (ii) to reveal the names of those who approached you for settlement outside the court, as falsely and criminally claimed by you. Failing which, or on any delay on your part, it shall be construed that the false and defamatory statement signed by you dated October 15, 2025, was indeed timed and done only to undermine and derail ongoing criminal, legal, and statutory proceedings initiated against you by my client, and you wil l be held liable. My client will be forced to take appropriate civil and criminal proceedings before the proper legal forum against you for your illegal, criminal, and defamatory statement signed and released by you on social media and other platforms on October 15, 2025, at your cost and risk.
Yours,

(M.MATHAN RAJ) Advocate

M. BRATHAN RAJ,
ADVOCATE HIGH COURT OF MADRAS
No. 6, •CHENNAI HOUSE’ Annex Building-3rd Floor.
Esplanade Chennai Road, – 600 Broadway.104
[16/10, 10:23] Sekarreporter: 👍

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