Mansoor Keerio
Mansoor Keerio
Mansoor Keerio
Respected Sir,
2). That about 7/8 days ago I along with my other relatives are
presence at Otaque when Moore Abbasi (Police Constable) and two
unidentefied persons with pistol on their hands Came at my Otaque
and issuing threats me and my relatives, aforesaid was robbed and
firing was also made upon at my Otaque, and then ask that if you
complainant against me, such report was made to SHO P.S Sakrand.
4). That since no any action on my such complaint has been taken
as yet.
To
The X.E.N, HESCO, Wapda,
Nawabshah.
Dear,
I state that I have got sufficient material to prove that there is not
a fair play on the part of lower staff of beat where my house bearing
No.II-A 837/374, Keerio House Golimar, Nawabshah, is situated, as my
meter has been removed without giving intimation or consent of mine
and an other meter has been fixed without getting the reading of that
meter noted to me.
I hope that fair and impartial enquiry may be conducted and my
grievance is hoped to be redressed by giving me full opportunity for
your satisfaction.
Thanking you,
Regards,
Mansoor Qadir Keerio
Applicant.
Respected sir,
1). That Asghar Ali and others moved application for transferring the
peach of water course from Water course No. 5-R and 6-R Ex. Derah
Minor to Water Course No.6-AL Ex-New Kot lalu Minor before Irrigation
Authorities.
3). That now we have come to know that matter has been referred
to your kind excellency for final decision.
a) That we are having not good relations with said Asghar Ali and
others as prior to this dispute was going on and even they
approached through effective persons but we refused at all.
c) That said Asghar Ali and others have been taking water from
water course No.5-R & 6-R Ex-Derah Minor and they have
moved this application with malafide intention as the level of our
land is below the land of Asghar Ali and others, therefore they
have nothing but the intention to deteriorate our land.
Page-2
d) That Asghar Ali and others have been taking undue advantage
from the irrigation authorities by getting some forged reports,
which are against the facts nothing but to get their land
transferred on our water course on any cost. Even technically it
shall not be feasible to transfer the peach.
e) That the water course No.6-Al Ex.Kot Lalu Minor is also passing
from our own land.
Thanks.
Respected sir
2). That I have come to know through notice dated: 31.7/2009 that
investigation of the crime aforesaid has been changed and has been
handed over to the Crime Branch Hyderabad.
3). That since I am complainant and two murders have been taken
place, but at the time of transfer of investigation neither I was issued
notice nor I was heard at all and at my back the investigation has been
transferred and handed over the the person in whom I have no
confidence at all, hence I have been condemned unheard.
5). That I feel injustice hence request that the order bearing No.
1507-12 dated: 28.7.2009 passed by learned Additional IGP,
Investigation, Sindh may be setaside and the investigation already
conducted by investigation team P.S Kazi Ahmed may be kept intact,
as the case has been challaned and is being proceeded with in the court
of learned IInd Add: Sessions Judge, Shaheed Benazir Abad being
Sessions Case No.255 of 2009.
To
The __________________________,
______________________________
_______________________________.
SUBJECT:- REQUEST FOR LEGAL ACTION AND JUSTICE.
Respected Sir,
4). That since no any action on my such complaint has been taken
as yet.
7). That Bio-Data of that number may also be taken from Zong
Franchise Nawabshah, so that actual accused may unscreened.
The Honourable,
Justice Mr. Amir Muslim Hani,
High Court of Sindh,
Hyderabad.
Honourable Sir,
2). That I have come to know that your honour visited District Jail,
Shaheed Benazir Abad , where at your honour was pleased to ask
accused Noor Ahmed to move bail application, consequently the same
has been filed before the Honourable High Court of Sindh, Circuit
Court Hyderabad.
3). That on merits the bail application of said accused Noor Ahmed
has been dismissed by the court of learned 2nd. Additional Sessions
Judge, Shaheed Benazir Abad.
6). That since I am complainant in the FIR bearing Crime NO. 103
of 2009, therefore, request that accused is involved truly in the offence
with specific role, in the court premises, therefore, his bail application
may be rejected, in the interest of justice.
Respected Sir,
5). That I cried much but none heard me and I am very anxious
particularly in these hard days as no house is given to me by any one
to reside finding me to be helpless widow.
Thanks.
Mst. Shama
V/S
APPLICATION
( Mst. Shama )
IN THE COURT OF 3RD ADDITIONAL SESSIONS JUDGE / EX-
OFFICIO, JUSTICE OF PEACE, SHAHEED BENAZIR ABAD.
Mst. Shama
V/S
AFFIDAVIT
I, Mst. Shama w/o Sabir Ali, muslim adult, pathan r/o Golimar,
Nawabshah, do hereby state on oath as under;
Dated: 03-07-2009
To
Respected Sir,
2.) That application moved by Asghar Ali and other Khatedars for
transferring the peach of water from water course No. 5-R and 6-R Ex;
Derah minor to water course 5 A L Ex; new Kot Lalu minor is not
justified, as they have been irrigating their lands through water course
bearing Nos: 5-R and 6-R Ex; Derah minor since their forefathers.
4.) That applicant Asghar Ali and others have been taking the
water for the purpose of irrigation for their lands from Derah minor
and it is also worth to mention here that the level of our land is below
the level of lands of applicant Asghar Ali and others, therefore it shall
not be suitable to transfer the peach.
5.) That the water course 5-A L is passing from our own land
and the applicant and others want to damage our land with malafide
intention.
Page-2
6. That we have already been facing shortage of water even for 85
acres land but when the land of applicants is transfered on this water
course then we shall be deprived for water to irrigate our land.
7. That we are respectable persons of our locality and since the
applicants are the persons of shrewed nature and they are searching
for any point to come into controversy with us, which may give loss to
us.
Thanks
1. Muhammad Nawaz S/o Nabi Bux 2. Aijaz Ali S/o Ali Mardan
Mubejo.
Mubejo.
Mardan
Mubejo.
5. Hadi Hassan S/o Naimat Ali Arain. 6. Liaqat Ali S/o Ali Mardan
Mubejo.
Dated:-
(Rashid Ali S/O Rab Nawaz Khaskheli)
r/o: near Allah Wali Mosque, Sanghar road,
Nawabshah.
To
The Honourable,
Chief Justice,
Supreme Court of Pakistan,
Islamabad.
SUBJECT:- REQUEST FOR JUSTICE.
Respected Sir,
Thanks
Respected Sir,
on 17.05.2009, under section 302 , 201, 376 and 506/2 PPC against
accused Iqbal @ Bali. The case was investigated into, I was medically
mine were recorded. Consequently the challan bearing No. 27, dated:
has been issuing threats through his relatives to withdraw the case
otherwise they would injure me, my sons and brother in laws. Due to
harassing me.
(Mst. Sugharan
Wd/O Late Mureed
Hussain Khoso)
r/o: Village near Sher
Khania, Taluka
Daulatpur, District
Shaheed Benazir Abad.
Copies to the :
cop
To
The District Police Officer,
Shaheed Benazir Abad.
Respected sir
5). That I then went to my village where my uncle Hussain Bux son
of Muhammad Rahim met me , to whom I disclosed facts aforesaid,
who advised me to go to P.S Jam Dattar for registration of FIR .
6). That I then went to Police Post 68 th Mori and complained of the
matter to ASI Muhammad Ali Zardari , In-charge P.P and requested
him for getting my FIR registered against the accused.
To
The District Police Officer,
Shaheed Benazir Abad.
Respected sir
5). That I then went to my village where my uncle Hussain Bux son
of Muhammad Rahim met me , to whom I disclosed facts aforesaid,
who advised me to go to P.S Jam Dattar for registration of FIR .
6). That I then went to Police Post 68 th Mori and complained of the
matter to ASI Muhammad Ali Zardari , In-charge P.P and requested
him for getting my FIR registered against the accused.
Respected Sir,
Respected Sir,
2). That the said land was again sold by said Gaji Dino Shah to one
Eid Muhammad Brohi.
3). That I filed civil suit bearing F.C. Suit NO. 78 of 2003, against
Gaji Dino Shah and others and ultimately Judgment and Decree was
passed in my favour with regard to the land aforesaid on 31.10.2003
and execution application bearing No. 7 of 2003, was filed, which is
pending in the court of learned Ist. Senior Civil Judge, Nawabshah.
5). That since Judgment and decree in my favour was passed but
accused persons by obtaining illegal gratification from said Eid
Muhammad renewed the Pass Book and issued loan in complete
disregard of the Judgment and decree and committed the offence
under Prevention of Corruption Act 1947.
2). That I had purchased plot No.5 in the sum of Rs.11,734/- and I
deposited an advance amount of Rs.5867/-.
5). That since the payment of the plot has been made but I have
been kept on false hopes for execution registered sale deed in my
favour on one or other pretext even after the passage of such huge
time.
Yours faithfully
I, _____________________________________ son of
______________________________________________, adult, mulsim,
r/o: ___________________________________________, Taluka
____________________ District_________________________________,
do hereby state on oath as under :-
Deponent.
CNIC No.
____________________
To
The Honourable,
Interior Minister of Pakistan,
Ministry of Interior
Islamabad.
Respected Sir,
4). That all of sudden I received letter bearing No. F.I.A/O.O. No.
135/ 97 dated 15-12-96 issued by Assistant Director FIA terminating
my services with effect from 15th December 1996.
5). That since I performed my duties properly and there was no any
sort of complaint against me but due to the act aforesaid I deemed that
I was made prey of political victimization.
P/2…
P/2…
10). That even after complying with the requirements of the Office of
Director General Federal Investigation Agency, headquarters
Islamabad, my grievance has yet not been redressed and I am seeking
for restoration of my service.
Yours Obediently
Enclosed
1. Photostat copy Appointment letter dated: 24.02.1996
2. Photostat copy of Termination letter dated: 15.12.1996
3. Photostat copy of my application for restoration dated:
05.04.2009
4. Photostat copy of letter submitting original appointment
and termination order dated: 19.04.2009
To
The Honourable,
President of Pakistan,
President House,
Islamabad.
Respected Sir,
4). That all of sudden I received letter bearing No. F.I.A/O.O. No.
135/ 97 dated 15-12-96 issued by Assistant Director FIA terminating
my services with effect from 15th December 1996.
5). That since I performed my duties properly and there was no any
sort of complaint against me but due to the act aforesaid I deemed that
I was made prey of political victimization.
P/2…
P/2…
10). That even after complying with the requirements of the Office of
Director General Federal Investigation Agency, headquarters
Islamabad, my grievance has yet not been redressed and I am seeking
for restoration of my service.
Yours Obediently
Enclosed
1. Photostat copy Appointment letter dated: 24.02.1996
2. Photostat copy of Termination letter dated: 15.12.1996
3. Photostat copy of my application for restoration dated:
05.04.2009
4. Photostat copy of letter submitting original appointment
and termination order dated: 19.04.2009
To
Respected Sir,
through reliable sources that some posts of police constable are lying
vacant under your kind control and I offer my services for one of the
Yours Sincerely.
Thanks.
The ___________________________________
_______________________________________,
_______________________________________.
Respected Sir,
It is submitted as under:-
2). That besides other works a Work Order for the construction of
Road from Yar Muhammad Jamali 2/0 to Ali Bux Jamali Via Achar
Khan Jamali mile 0/5 – 0/7 , bearing No.TC/G-55/1312, Nawabshah,
dated: 30.05.2007 was handed over to me by District Officer (Roads)
Nawabshah
3). That after the said work order was issued, I started
construction of the work aforesaid by laying down material at the
site.
5). That since the funds were not available with the Department
for about one year , therefore, my payment for the work already done
at the site was with-held and I was not permitted to start the work
because of non-availability of funds.
6). That neither any intimation / notice for starting the work was
issued / served on me and all of sudden an order bearing No.TC/G-
55/58, dated: 09.01.2009 was issued by closing the contract of the work
of the construction of the road noted in the subject. On the basis of
order bearing No.SDC/-DDO/NWS/22 of 2009, N.Shah, dated:
05.01.2009 of Deputy District Officer (Roads) Nawabshah.
P/2…
P/2…
Q.No.8. Explain the rule of law according to the Diecy. What its
nature and general application?
Respected Sir
To
Respected Sir
To
The Director General,
Federal Investigation Agency,
Head Quarters Islamabad.
Respected Sir,
4). That all of sudden I received letter bearing No. F.I.A/O.O. No.
135/ 97 dated 15-12-96 issued by Assistant Director FIA terminating
my services with effect from 15th December 1996.
5). That since I perform my duties properly and there was no any
sort of complaint against my but due to the act aforesaid I deemed that
I was made prey of political victimization.
6). That I tried my beset for the restoration of my service and
approach various authorities for the redressal of my grievance by of
no avail.
Enclosed
5. Photostat copy Appointment letter dated: 24.02.1996
6. Photostat copy of Termination letter dated: 15.12.1996
further warned that if I do not enter into compromise with all the
accused in the murder case aforesaid they would not allow me to live
5). That I moved heaven and earth for registration of case against
them but when the accused persons are themselves POLICE OFFICERS
involved in the offence then no police officer is ready to do the needful,
therefore, I was threatened that in case I made any complaint against
any police officer/official, then I would be booked in serious of false
cases.
7). That DSP Aslam Langah has been issuing threats that since the
To
The Honourable,
Chief Justice,
Supreme Court of Pakistan.
Islamabad.
Honourable Sir,
Zeeshan was murdered and the case was registered at P.S Kazi Ahmed,
bearing Crime NO. 170 of 2008, U/S 302, 34 PPC against Qaim son of
Arab Rahu, Wasaro son of Hayat Rahu, Arab son of Wasaro Rahu and
2). That after registration of the FIR 164 Cr.P.C Statements of the
witnesses mentioned in the FIR were recorded but even then accused
SIO Ghulam Shabir Mangrio, joined hands with the accused persons
and let Arab and Aslam off illegally and malafidely and for ulterior
reasons.
3). That the act of SIO Ghulam Shabir Mangrio encouraged the
accused Arab and Aslam involved in murder case, that is why, they
along with other private persons & police officers / officials mentioned
in the subject and 20/25 unidentified persons on 12.03.2009 at 10/11
am encircled my house while firing and ultimately entered into my
Choudewari, maltreated women folk , DSP Aslam Langhah and ASI
Hanif Mahar took cash amount of Rs.70,000/- and gold ornaments of
different kinds on the awe of the weapons.
P/2…
P/2…
4). That we tried to resist them , on which they issued murderous
threats and further warned that if I do not enter into compromise with
all the accused in the murder case aforesaid they would not allow me
7). That DSP Aslam Langah has been issuing threats that since the
The Honourable,
Chief Minister,
Province of Sindh,
Karachi.
Respected Sir,
2). That S.No.33, Deh Khahi Qasim, Taluka Bhiria , remained in our
actual possession and the same has been got cultivated by us and we
have been paying the land Revenue to the Govt.
3). That our elders and we have got constructed some residences
for our tenants and Kamdars and given to various tenants from time to
time.
4). That some of our tenants who have got no legal right or interest
in the land situated in S.No.33, Deh Khahi Qasim, but with malafide
intention and for ulterior motives they started to move false
applications for regularization of so called village in the name of Allah
Ditto Bhambro on area of 04-00 acres out of S.No.33, on the other hand
there is no such village existed in that land nor in any revenue record
nor the same has been sanctioned in accordance with law.
5). That the survey number aforesaid has been our personal
property and none has any interest in the same except our family
members.
P/2…
8). That the Executive District Officer (R), N. Feroze falsely re-
passed that the village is consisting of 25 house and was established for
last 40 years.
9). That we the legal owners of the S.No.33, Deh Khahi Qasim,
Taluka Bhiria , District N. Feroze have never applied for regularization
of any such village but some shrewd persons have tried to manipulate
the name of the village to be existed in the survey number.
10). That Mukhtiarkar and DDO (R), concerned have given wrong
details in connivance with one Farooque Bhambro for his vested
interest.
this regard on incorrect facts may kindly be cancelled and the original
0/4- 0/7 by the office District Officer Roads, Nawabshah and such
accomplish the work within eight (08) months. Photostat copy of which
at site but after some time he abandoned the work as such did not
complete the work within the stipulated period, hence I reported the
direction to resume the work within 07 days without any further delay.
and further necessary action, but even then he did not resume the work
resuming the work at site, otherwise action could be taken against him
as annexure “D”.
P/2…
contractor for not resuming the work. Photostat copy of which I submit
site for submission of Report, hence I visited the site on 16.02.2009 and
found the work was stopped. His representative was available at site to
Ghulam Mustafa Wasan, Govt. Contractor , called me from his cell and
as annexure “G”.
annexure “H”.
P/3…
P/3…
not abide by the contract for completing the work at site and due to the
that I may knee down before him for supporting him illegally,
otherwise neither I have committed any offence nor any illegal demand
false, fabricated and creative of mine of the said contractor on the other
dismissed.
To
Respected Sir
Thanks.
Yours truly,
Sir,
5). That the receipt of cheques was even issued by Sajid Farooque
and the cheques was also got en-cashed by him from the bank
concerned.
6). That however, the contract was not complied within stipulated
time therefore, I was having no other option but to approach Mr. Sajid
Farooque at his residence for carrying out his works , but I found him
to avoid even from meeting with me.
To
Respected Sir,
He was sole earner of our family and at the time of his death he left
behind him widow, son and four daughters.
Since, we have no source of income and are passing our life miserably,
as even there is no family pension etc is in existence so that we may
live honourably in the society particularly in these hard days when
every thing is speaking with sky.
I am sole male member of my family, therefore, if I may be given
opportunity to be employed in the department mentioned in the subject
I shall remain obliged.
Yours Faithfully
(MAQBOOL AHMED
MUGHAL)
ADVOCATE
H # II-B, 772, Masjid Babe Rehmat
Street
Near Old Yateem Khana, Manuabad
Nawabshah.
To
Respected Sir,
Yours Faithfully
(MAQBOOL AHMED
MUGHAL)
ADVOCATE
H # II-B, 772, Masjid Babe Rehmat
Street
Near Old Yateem Khana, Manuabad
Nawabshah.
Enc: Photostat copies
Respected Sir,
SUBJECT:-
To
R/Sir,
To
General Magistrate
O.P.F Sindh
Karachi.
R/Sir,
R/Sir,
Respected Sir,
APPLICANT
Respected Sir,
EXECUTANT
WITNESSES
1_____________________ 2__________________________
Dated;- 05-01-2008.
To
R/Sir,
R/Sir,
The Principal,
Quaid-e-Azam Law College,
Nawabshah.
R/Sir,
This is to certify that Imran Ali S/o Ali Murad Jamali was hard
working student of HSC Part-II of Govt. Higher Secondary School,
Mehar Ali Jamali, who appeared in the Examination held in May, 2008
and it is expected that he shall secure the marks more than 60%.
C E R T I F I C A T E.
This is to certify that Imran Ali S/o Ali Murad Jamali was hard
working student of HSC Part-II of Govt. Higher Secondary School,
Mehar Ali Jamali, who appeared in the Examination held in May, 2008
and it is expected that he shall secure the marks more than 60%.
To,
Respected Sir,
It is humbly submitted that I applied for issuance of
blank tenders for contract on scheme No. 81 vide your
advertisement referred above, along with my application I also
submitted a call deposit of Rs. 34,000/- as required in the
advertisement, but the blank tender as I requested has not been
not issued to me till date, so that I may be able to fill in the rates
for a contract.
Thanking you.
Yours faithfully
Muhammad Ismail
Pirzada
Govt: Contractor.
Copy submitted to;
Your's Faithfully,
To,
The Honourable,
Chief Minister, Sindh,
Karachi.
Respected Sir,
Your's Faithfully,
Zafar Ali S/o Lala Jam Samo
Unnar
R/o H.NO.A-68, Housing
Society,
Nawabshah.
Dated:-
To,
The Honourable,
Minister of Health, Sindh,
Karachi.
Parents of
some of the
Candidates.
Copy submitted to;
1. The Secretary Health, Government of Sindh Karachi.
2. Chief Minister Government of Sindh, Karachi.
3. Chief Secretary Government of Sindh, Karachi.
4. Federal Secretary Health, Government of Pakistan,
Islamabad.
5. Chief Justice of Sindh, Karachi.
For information and necessary action.
Your's Faithfully,
Honourable Sir,
(PAGE-2)
Your's Faithfully,
Respected Sir,
With due respect I beg to request your kind honour that I lay
down following few lines for your kind and sympathetic consideration.
1994.
Rs.5020/-.
advance on
honour's office.
vide his endorsement No.795 dated:4.4.2003, but the same had not
after above their loans had been sanctioned from your good office.
Since the basic pay of applicant has been increased during the
has also been increased and amount of advance may kindly be treated
as under:-
Cont Page-2
Page-2
above, and sanction the applied advance loan at an earliest, for which I
Your's Obediently,
Certified that the official Mr. Mukhtiar Ahmed Qureshi LDC of this
office has not availed any kind of departmental loan such as House
Purchase Advance, Motor cycle advance or G.P. Fund Advance during
his service till date, nor any loan balance is out standing against him.
SALARY CERTIFICATE.
Certified that the official Mr. Mukhtiar Ahmed Qureshi LDC of this
office is drawing his monthly salary from this office as under:-
S.No. Particular
Amount.
_____________
GROSS RS.
DEDUCTION
Respected Sir,
Applicant