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Mansoor Keerio

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To

The Senior Supreindent Police,

Shaheed Benazir Abad.

SUBJECT:- REQUEST FOR LEGAL ACTION AND JUSTICE.

Respected Sir,

Humbly it is submitted as under :-

1). That I am a Labourer and residing in Village Tali farm near


Sakrand Taluka Sakrand District Shaheed Benazir Abad.

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.

5). That today viz. 16.07.2009, I received threats on my mobile


phone No. 0300-3200650, from mobile NO.0312-3622539. The person
threatening was also mentioning about the incident aforesaid and was
giving warning that if I made / pursue my complaint with regard to
robbery and firing upon my van, then he would give heavy loss to me
as well as my other family members.

6). That I made such complaints also to Zong franchise Nawabshah,


about the number aforesaid but no any fruitful action is seen to have
been taken.
7). That Bio-Data of that number may also be taken from Zong
Franchise Nawabshah, so that actual accused may unscreened.

Therefore, finding no other alternate except to invoke


before your excellency that legal action in the matter may kindly be
taken , so that I and my other family members may be saved from any
illegal action on the part of the persons whose mobile phone number
has been mentioned above and justice is done .

(Muhammad Usman S/O


Muhammad Yousif)
r/o: Habib Sugar Mills Colony,
Nawabshah.

To
The X.E.N, HESCO, Wapda,
Nawabshah.

SUBJECT: ENQUIRY, ACTION AND JUSTICE.

Dear,

Since I made so many complaints with regard to illegal


detection bill issued against me and removal of Electric Meter to your
office but I could not find any fairness in accordance with law and
natural justice.

Finding no other alternate I approached Mr. Nazir Ahmed Shaikh


Sahib, C.O, Operation HESCO, Hyderabad, who was pleased to refer
to your office by a note mentioned over Electric Bill issue date:23.July,
2009 with regard to disputed amount of detection bill for the month of
June,2009.

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.

I produce original copy of Electric Bill issued dated: 23.July,


2009 alongwith endorsement of C.O, Operation.

Thanking you,

Regards,
Mansoor Qadir Keerio
Applicant.

Copy forwarded to C.O. Operation, HESCO, Hyderabad


To
The District Co-Ordination Officer,
Khairpur.

SUBJECT: REQUEST FOR CONSIDERING THE OBJECTIONS.

Respected sir,

It is humbly submitted as under :-

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.

2). That Executive Engineer East Division Khairpur issued notice to


under signed with regard to the application of said Asghar Ali and
others, to which the undersigned filed objections .

3). That now we have come to know that matter has been referred
to your kind excellency for final decision.

4). That we the undersigned again request

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.

b) That we are already facing shortage of water course by holding


85-00 acres land on our water course and when other 217-00
more acres are transferred then definitely no one shall be able
to irrigate the land.

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.

Therefore in view of the submissions aforesaid we


request that application of Asghar Ali and others may be dismissed and
peach of land may not be transferred on our water course in the larger
interest of locality.

Thanks.

( Aijaz Ali son of Ali Mardan Mubejo)


Muhammad Nawaz Mubejo Ghullamullah Mubejo Hadi Hassan
Arain

Liaqat Ali Mubejo Gul Mir Khaskeli

All Khatedars of Water Course No.6-Al Ex.New Kot Lalu Minor.


To
The Provincial Police Officer,
Sindh, Karachi.

SUBJECT: TRANSFER OF INVESTIGATION CRIME NO.132 OF


2008 U/S 302, 324,337-H(II),148,149 POLICE STATION
KAZI AHMED DISTRICT SHAHEED BENAZIR
ABAD.

Respected sir

It is humbly submitted as under :-

1). That I am complainant in the case noted in the subject.

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.

4). That since the investigation has been transferred without my


consent and knowledge and I have no confidence for the matter to be
investigated by Inspector Crime and Investigation Hyderabad region
Mr. Qadir Dad Siyal.

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.

Therefore my request may kindly be allowed in the interest of


justice or any other order after hearing me may be passed.
Thanks.

(Zanwar Hussain son of


Muhammad
Anwar Unnar)
r/o: Faqeer Abdul Nabi Rahu
Colony,
Kazi Ahmed Taluka Daulatpur,
District Shaheed Benazir Abad.

Copies are submitted for information and necessary action:-


1. Additional Inspector General Police, Investigation Sindh,
Karachi.
2. Inspector Crime and Investigation Hyderabad Region
Hyderabad.

To

The __________________________,

______________________________

_______________________________.
SUBJECT:- REQUEST FOR LEGAL ACTION AND JUSTICE.

Respected Sir,

Humbly it is submitted as under :-

1). That I am residing in Habib Sugar Mills Colony, Nawabshah.

2). That I own Toyo Hiace Van bearing Registration No.JF-3405,


which is being plied from Nawabshah to Karachi.

3). That about three / four days ago passengers of my van


aforesaid was robbed and firing was also made upon my van near
Landhi while it was coming from Karachi, such report was made to
SHO P.S Taluka Nawabshah.

4). That since no any action on my such complaint has been taken
as yet.

5). That today viz. 16.07.2009, I received threats on my mobile


phone No. 0300-3200650, from mobile NO.0312-3622539. The person
threatening was also mentioning about the incident aforesaid and was
giving warning that if I made / pursue my complaint with regard to
robbery and firing upon my van, then he would give heavy loss to me
as well as my other family members.

6). That I made such complaints also to Zong franchise Nawabshah,


about the number aforesaid but no any fruitful action is seen to have
been taken.

7). That Bio-Data of that number may also be taken from Zong
Franchise Nawabshah, so that actual accused may unscreened.

Therefore, finding no other alternate except to invoke


before your excellency that legal action in the matter may kindly be
taken , so that I and my other family members may be saved from any
illegal action on the part of the persons whose mobile phone number
has been mentioned above and justice is done .
(Muhammad Usman S/O
Muhammad Yousif)
r/o: Habib Sugar Mills Colony,
Nawabshah.

Copy to Incharge, Zone Franchise, Golawala Complex, Nawabshah.


6).
To

The Honourable,
Justice Mr. Amir Muslim Hani,
High Court of Sindh,
Hyderabad.

SUBJECT: REQUEST FOR JUSTICE.

Honourable Sir,

It is humbly submitted as under :-

1). That I am complainant in FIR bearing Crime No. 103 of 2009,


registered at P.S A-Section, Nawabshah, on 17.06.2009, U/S 334, 337-
A(i), L(ii), 504 R/W 34 PPC, in which accused Noor Ahmed son of
Abdul Fatah Brohi inflicted clip blow on my mouth, resultantly my
tooth was broken, such Medical Certificate has also been issued.

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.

4). That it is further submitted that accused Noor Ahmed is


previous convict in Crime NO. 27 of 2000, P.S Daur U/S 14 Tazir ,
506/2 , 353, 147 PPC and the same was registered by Mukhtiarkar
Nawabshah.

5). That Photostat copies of FIR and Judgment of conviction are


also submitted herewith for kind perusal and consideration.

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.

(Muhammad Saffar S/O Muhammad


Ramzan)
r/o: Village Sono Khan, Deh 84
Nusrat,
Taluka Daur, District Shaheed
Benazir Abad.
To
Mohtarma Faryal Talpur,
Zardari House,
Housing Society, Nawabshah.

SUBJECT: REQUEST FOR ACTION, JUSTICE AND


PROTECTION TO HELPLESS WIDOW.

Respected Sir,

It is humbly submitted as under:-


1.) That I am widow, mother of two children and my husband died
about 8/9 years ago.

2.) That at the time of death of my husband I was residing in a


government plot C.S No. 1075 situated in old Nawabshah and the
possession of the same was with us for more than 30 years.

3.) That I applied for allotment of the same in my name to District


Officer (Revenue) Shaheed Benazir Abad, which was endorsed to
Mukhtiarkar Revenue Nawabshah, where upon Mukhtiarkar
instructed city survey officer Nawabshah to the visit the site, who after
inspection reported that I was in possession of the plot aforesaid.

4.) That despite of my repeated approaches none is ready to hear


the voice of helpless widow lady, though I complied with all the
requirements required by the concerned, therefore, finding no other
alternate I filed F.C Suit No.32 of 2005, so that plot aforesaid could be
transferred in my name but during the pendency of the suit one
Ameer Bux son of Imam Bux Lashari in collusion with Nawab
Pathan , Iqbal , Shareef and the Revenue Officers forcibly
dispossessed me from my house and removed all the articles
kept in my house.

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.

I therefore, request that action against the persons


aforesaid may kindly be taken and District Officer (Revenue) Shaheed
Benazir Abad may be directed to transfer/ allot the plot aforesaid in
my name and in response to that I shall nothing but pray for your high
honour in the society.

Thanks.

(Mst. Nabeela @ Nabeen


Begum
Wd/O Sardar Anjum)
r/o: House No.404, Old
Nawabshah.
IN THE COURT OF 3RD ADDITIONAL SESSIONS JUDGE / EX-
OFFICIO,
JUSTICE OF PEACE, SHAHEED BENAZIR ABAD.

Cr. Misc: Appl: No. 250 of 2009.

Mst. Shama

V/S

SHO PS “A” Section Nawabshah.

APPLICATION

It is prayed that this Honourable Court may be pleased to

issue direction to SHO PS “A” section Nawabshah, to comply with the

order of the Honourable Court passed on 16-06-2009 and action in

accordance with law may be taken against respondent for not

complying with the directions of the Honourable Court.

This prayer is made in the interest of justice.

Photostat copy of order dated 16-06-2009, is submitted herewith.

Dated: 03-07-2009 Applicant

( Mst. Shama )
IN THE COURT OF 3RD ADDITIONAL SESSIONS JUDGE / EX-
OFFICIO, JUSTICE OF PEACE, SHAHEED BENAZIR ABAD.

Cr. Misc: Appl: No. 250 of 2009.

Mst. Shama

V/S

SHO PS “A” Section Nawabshah.

AFFIDAVIT

I, Mst. Shama w/o Sabir Ali, muslim adult, pathan r/o Golimar,
Nawabshah, do hereby state on oath as under;

1. I am applicant in accompanying application.


2. That SHO PS “A” section Nawabshah does not record my
statement, on one or other pretext, even I have approached the police
station for time and again since the order was passed.

3. That finding no other alternate I again approach the Honourable


Court, so that order dated 16-06-2009 may be complied with and my
statement is recorded.

4. Whatever stated above is true and correct to the best of my


knowledge and belief.

I know the deponent Deponent.

Dated: 03-07-2009
To

The Executive Engineer Irrigation,


East Division, Khairpur.

SUBJECT:- OBJECTIONS TO NOTICE U/S 91 & 92 OF


IRRIGATION ACT 1879.

Reference:- Your Notice Dated 19-06-2009.

Respected Sir,

The objection to notice U/S 91 & 92 of Irrigation Act 1879,


are submitted as under;

1.) That our agricultural land admeasuring about 85 acres is


situated on water course No 5 A L Ex: new Kot Lalu minor for the
purpose of irrigation.

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.

3.) That we the Khatedar of water course bearing No. 5 –A L


strongly oppose the transfer of above peach, as Asghar Ali and others
are having no good relations with us and even they came to us for this
purpose but on our refusal they issued threats.

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.

Therefore, we request that peach of water may not be transfered


on our water course and the application of Asghar Ali and others may
be rejected

Thanks
1. Muhammad Nawaz S/o Nabi Bux 2. Aijaz Ali S/o Ali Mardan

Mubejo.

Mubejo.

3. Ghullamullah S/o Ali Nawaz Mubejo 4. Mumataz Ali S/o Ali

Mardan

Mubejo.

5. Hadi Hassan S/o Naimat Ali Arain. 6. Liaqat Ali S/o Ali Mardan

Mubejo.

7. Gul Mir S/o Gul Bahar Khaskeli.

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,

It is humbly submitted that I entered into marriage with


Mst. Uzma D/o Ghulam Rasool Ghori, on 27.05.2009, after she had
sworn free will affidavit on the same day.

After the marriage was taken place my father in law


namely Ghulam Rasool Ghori took my wife with him for the purpose
of meeting, but later on he did not leave my wife to come to my house,
consequently I moved application for the recovery of my wife before
the Honourable Sessions Judge, Shaheed Benazir Abad, but my father
in law and maternal uncles of my wife namely Shahzad Ali, Aabid Ali,
Azahar Ali and Javed Ali have illegally screened my wife and are not
discovering , so that she may come to me.

I therefore, request that action in this regard may kindly


be taken so that my wife may be allowed to come to me.

Thanks

(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,

It is humbly submitted that I got an FIR bearing Crime

No. 28 of 2009, registered at P.S Pabjo, District Shaheed Benazir Abad,

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

examined which supports my version and ultimately 164 Cr.P.C

Statement of my witnesses namely Lutuf Hussain, Baloch Khan and

mine were recorded. Consequently the challan bearing No. 27, dated:

04.06.2009, was submitted. Since the accused is influential person and

has been issuing threats through his relatives to withdraw the case

otherwise they would injure me, my sons and brother in laws. Due to

influence of accused the investigation police of P.S Pabjo is also

harassing me.

I, therefore, request that action in this regard may be


taken, so that justice is done with me.
Photostat copy of FIR, Medical Certificate, 164 Cr.P.C
Statements and challan are submitted herewith.

(Mst. Sugharan
Wd/O Late Mureed
Hussain Khoso)
r/o: Village near Sher
Khania, Taluka
Daulatpur, District
Shaheed Benazir Abad.
Copies to the :

1). Provincial Police Officer, Sindh , at Karachi.


2). Regional Polie Officer, Region Hyderabad, at Hyderabad.
3). District Police Officer, Shaheed Benazir Abad.
4). SHO P.S Pabjo.

cop
To
The District Police Officer,
Shaheed Benazir Abad.

SUBJECT: REQUEST FOR REGISTRATION OF FIR AGAINST


PC NOOR MUHAMMAD SON OF NOT KNOWN,
MARI BY CASTE, R/O: NEAR 60 TH MILE, TALUKA
DAUR, PRESENTLY POSTED AT POLICE POST 68
MORI , P.S. JAM DATTAR.

Respected sir

It is humbly submitted as under :-

1). That on 09.06.2009, I was going on my motorcycle along with


Muhammad Waris son of Hussain Bux Chandio and when at about
1:00 pm I reached at link road going towards Village Noor Ahmed
Shah, accused mentioned in the subject duly armed with Kalashnikov
wearing civil dress cautioned me to stop the motorcycle.

2). That I stopped my motorcycle on which accused Noor


Muhammad came ahead of us and asked me to get off from the
motorcycle.

3). That on my refusal to do so he aimed his K.K at me by putting


his hand at my neck and started issuing threats and abuses.

4). That my cousin Muhammad Waris who was sitting behind me


on the motorcycle intervened and besought the accused, on which the
accused left me while issuing threats that he would not spare me and
would give exemplary punishment to me in future whenever I met
him.

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.

7). That said ASI Muhammad Ali Zardari , asked me to go to P.S


Jam Dattar for registration of case and then I went there , but since the
accused was police constable, therefore, I was refused from registration
of FIR.

Therefore, finding no other alternate I approach before


your Excellency, so that SHO P.S Jam Dattar may be directed to
register the FIR against the accused Noor Muhammad Mari and action
is taken and justice is done.
Thanks.

(Abdul Kareem son of Ghulam


Muhammad Chandio)
r/o: Village Hussain Bux Chandio,
Taluka Daur, District Shaheed
Benazir Abad.

To
The District Police Officer,
Shaheed Benazir Abad.

SUBJECT: REQUEST FOR REGISTRATION OF FIR AGAINST


PC NOOR MUHAMMAD SON OF NOT KNOWN,
MARI BY CASTE, R/O: NEAR 60 TH MILE, TALUKA
DAUR, PRESENTLY POSTED AT POLICE POST 68
MORI , P.S. JAM DATTAR.

Respected sir

It is humbly submitted as under :-

1). That on 09.06.2009, I was going on my motorcycle along with


Muhammad Waris son of Hussain Bux Chandio and when at about
1:00 pm I reached at link road going towards Village Noor Ahmed
Shah, accused mentioned in the subject duly armed with Kalashnikov
wearing civil dress cautioned me to stop the motorcycle.

2). That I stopped my motorcycle on which accused Noor


Muhammad came ahead of us and asked me to get off from the
motorcycle.

3). That on my refusal to do so he aimed his K.K at me by putting


his hand at my neck and started issuing threats and abuses.
4). That my cousin Muhammad Waris who was sitting behind me
on the motorcycle intervened and besought the accused, on which the
accused left me while issuing threats that he would not spare me and
would give exemplary punishment to me in future whenever I met
him.

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.

7). That said ASI Muhammad Ali Zardari , asked me to go to P.S


Jam Dattar for registration of case and then I went there , but since the
accused was police constable, therefore, I was refused from registration
of FIR.

Therefore, finding no other alternate I approach before


your Excellency, so that SHO P.S Jam Dattar may be directed to
register the FIR against the accused Noor Muhammad Mari and action
is taken and justice is done.
Thanks.

(Abdul Kareem son of Ghulam


Muhammad Chandio)
r/o: Village Hussain Bux Chandio,
Taluka Daur, District Shaheed
Benazir Abad.
TO

The Station House Officer,


P.S A-Section Nawabshah.

SUBJECT:- REQUEST FOR REGISTRATION OF FIR AGAINST


ACCUSED ABDUL HAKEEM SON OF ABDUL GHAFOOR
(2) ABDUL GHAFOOR SON OF MOHAMMADO BOTH
KHASKHELI, R/O: VILLAGE SIKNDAR DEHRAJ,
TALUKA NAWABSHAH, DISTRICT SHAHEED BENAZIR
ABAD AND (3) UNIDENTIFIED PERSON.

Respected Sir,

It is humbly submitted that my daughter Mst. Saman was


married with Abdul Hakeem about three years back being an exchange
marriage. Due to matrimonial dispute my daughter filed suit for Dissolution
of mirage on 03.04.2009 , before Ist. Senior Civil / Family Judge, Nawabshah.
After coming to know about the suit accused Abdul Hakeem annoyed and
used to issue threats of dire consequences. On 05.04.2009, I and my other
family members namely my son Gulzar, daughters Moomal, Sanam and
husband after taking meal went to sleep, when at about 11:30 pm on the
knocking of the door we got up and found the accused duly armed with
lethal weapons have already entered into our house. Accused Abdul Hakeem
and Abdul Ghafoor on awe of weapons tried to kidnap my daughter Mst
Sanam by dragging her and others aimed their weapons at us. On the
resistance of my son Gulzar, Moomal me and my husband all the accused
persons inflicted kicks and fists blows, as a result of which my son Gulzar,
daughter Moomal and myself sustained injuries. On hue and cries so many
people of the vicinity gathered and interfered with i.e. why , the accused
persons went away while issuing threats that they will come again to abduct
my daughter Mst. Sanam as they were having no care about the court cases.
Such incident was also having published in different News papers on 0-
6.04.2009. I tried my best to get the FIR registered and ultimately approached
the Honourable Sessions Judge / Ex-Officio, Justice of Peace, Shaheed Benazir
Abad and ultimately the same was transferred to learned 3rd. Addition
Sessions Judge / Justice of Peace, wherein I have been directed to move
application before your excellency , so that my FIR against the accused person
may be registered.

I therefore, humbly request that if, my FIR against the accused


person may be registered so that action is taken and justice is done with me.

Copy of order dated: 27.05.2009, passed by the learned 3 rd. Additional


Sessions Judge / Justice of peace is submitted herewith.

(Mst. Hajran W/O Rasool Bux Khaskheli )


r/o: Taj Colony, Nawabshah.
To,
The Special Judge,
Anti Corruption,
Sukkur, camp at
Nawabshah.

SUBJECT:- REQUEST FOR ACTION AGAINST ABDUL KAREEM


SANGRASI MUKHTIARKAR ,(REVENUE) DAUR (2)
AMJAD SHAR TAPEDAR, TAPO AKDOI, TALUKA DAUR
(3) PUNHAL KATHIO EX-TAPEDAR TAPO AKDOI,
TALUKA DAUR (4) EId MUHAMMAD SON OF FAIZ
MUHAMMAD BROHI & (5) FAIZ MUHAMMAD SON OF
EID MUHAMMAD BROHI BOTH R/O: JAM SAHIB ROAD,
LINE PAR NAWABSHAH.

Respected Sir,

It is humbly submitted as under :-

1). That I purchased an agricultural land bearing S.No.52/1 to 4


from one Gaji Dino Shah in the sum of Rs.s1,10,000/- on 17.09.1999.

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.

4). That I approached the officers/officials mentioned in subject


and apprised of the facts on which they demanded hush money and if I
did not oblige them they would extend wrongful gain to said Eid
Muhammad and wrongful loss to me.

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.

Finding no other alternate adequate relief I request before your


kind honour that enquiry may be ordered to be conducted so that the
accused mentioned in the subject are brought to books and justice is
done with me.

(Muhammad S/O Mirza Khan


Brihmani)
r/o: Deh 105, Nusrat, Taluka Daur,
District Shaheed Benazir Abad.
Applicant.
To
The Honourable,
Prime Minister of Pakistan,
Prime Minster House,
Islamabad.

SUBJECT:- REQUEST FOR EXECUTION OF SALE DEED


WITH REGARD TO PLOT NO. 05 IN
COMMERCIAL CATEGORY.
Respected Sir,

It is humbly requested as under :-

1). That in reference to publication published in Daily Jangh


Karachi , dated: 28.01.1988, I participated in the auction of Commercial
Plots (18 ) of SIE , Nawabshah in the Office of District Officer SIE,
Nawabshah, on 14.02.1988.

2). That I had purchased plot No.5 in the sum of Rs.11,734/- and I
deposited an advance amount of Rs.5867/-.

3). That there was an outstanding of Rs.5867/- but due to some


problems I received letter bearing No.SSIC/E & I / SR /98/1210,
dated: 01.07.1998, from Regional Director for depositing the amount of
Rs.14721/- as an arrear of the plot in toto.

4). That pursuant to the letter mentioned in preceding para I


deposited arrears viz. Rs.14721/- through cheuqe bearing No.44157732,
drawn on Habib Bank Limited Mohni Bazaar, Nawabshah vide receipt
No.1423 , issued by District Officer, Sindh Small Industries
Corporation Nawabshah, on 09.07.1998.

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.

6). That I moved an application to District Officer, Sindh Small


Industries Corporation Shaheed Benazir Abad requested that plot
aforesaid might be transferred in my name, copy of which duly
received dated: 22.01.2009 is submitted but no fruitful result has come
out in my favour.
Finding no other alternate except to approach your
excellency I request that my matter may be considered Humanitarian
ground and concerned may be directed to get the registered sale deed
executed in my favour.

Photocopies of letters mentioned are also submitted


herewith, for ready reference
Thanks.

Yours faithfully

(TANVEER AHMED SON OF


MUHAMMAD SLAEH QURESHI)
R/O: Otaq Quarters, Nawabshah.
AFFIDAVIT

I, _____________________________________ son of
______________________________________________, adult, mulsim,
r/o: ___________________________________________, Taluka
____________________ District_________________________________,
do hereby state on oath as under :-

1). That I am owner of premises consisting of two rooms and


Verandah, situated in Village ___________________________________,
Taluka __________________________________,
District_____________________.

2). That I am delivering the aforesaid premises to Sindh Education


Foundation on rent of Rs.2000/- per month for the purpose of
establishing Primary School.
3). That I shall have no objection if the children of the village /
vicinity take education in my premises mentioned above.

4). That I am swearing this affidavit on my own will and accord.

What ever stated above is true and correct to the best of


my knowledge and belief.

Deponent.
CNIC No.
____________________
To

The Honourable,
Interior Minister of Pakistan,
Ministry of Interior
Islamabad.

Subject:- REQUEST FOR REINSTATEMENT FOR THE


POST OF ASI (BPS-9), IN FIA.

Respected Sir,

It is humbly submitted as under:-

1). That I was appointed as ASI ( BPS-9) in the Federal Investigation


Agency vide order No. 7/C/96- ( 2954), Islamabad dated 24-02-1996.

2). That in pursuance of order aforesaid my joining was effected at


FIA headquarters, Islamabad.

3). That after I joined the services I performed my duties honestly,


effectively and to the full satisfactions of my superiors with out any
complaint against me.

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.

6). That I tried my beset for the restoration of my services and


approached various authorities for the redressal of my grievance but of
no avail.
7). That I came to know through advertisement published in
various newspapers on 1st April, 2009, for applying for restoration in
the services

8). That pursuant to the publication I approached through my


application dated: 05.04.2009 to the Director General , Federal
Investigation Agency, Headquarters Islamabad for reinstatement.

9). That consequent to upon my application for restoration of my


service there was a telephonic conversation taken place by the office of
Director General, FIA , headquarters Islamabad for sending original
appointment Order No.7/C/96 (2954) dated: 24.02.1996 and original
termination order No.FIA/0.0 No.135/97, dated: 15.12.1996, which I
submitted through letter dated: 19.04.2009.

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.

Therefore, I am submitting before your kind honour


that my case may be considered on humanitarian grounds, so
that my service may be restored as per the Ordinance issued by
the Honourable President of Pakistan.

Yours Obediently

(Liaquat Ali son of Haji Yar Muhammad


sial)
r/o: House NO.D-30 , University Colony,
Nawabshah ( District Shaheed Benazir
Abad)
Phone : 244-364136

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.

Subject:- REQUEST FOR REINSTATEMENT FOR THE


POST OF ASI (BPS-9), IN FIA.

Respected Sir,

It is humbly submitted as under:-

1). That I was appointed as ASI ( BPS-9) in the Federal Investigation


Agency vide order No. 7/C/96- ( 2954), Islamabad dated 24-02-1996.

2). That in pursuance of order aforesaid my joining was effected at


FIA headquarters, Islamabad.

3). That after I joined the services I performed my duties honestly,


effectively and to the full satisfactions of my superiors with out any
complaint against me.

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.

6). That I tried my beset for the restoration of my services and


approached various authorities for the redressal of my grievance but of
no avail.
7). That I came to know through advertisement published in
various newspapers on 1st April, 2009, for applying for restoration in
the services

8). That pursuant to the publication I approached through my


application dated: 05.04.2009 to the Director General , Federal
Investigation Agency, Headquarters Islamabad for reinstatement.

9). That consequent upon to my application for restoration of my


service there was a telephonic conversation taken place by the office of
Director General, FIA , headquarters Islamabad for sending original
appointment Order No.7/C/96 (2954) dated: 24.02.1996 and original
termination order No.FIA/0.0 No.135/97, dated: 15.12.1996, which I
submitted through letter dated: 19.04.2009.

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.

Therefore, I am submitting before your kind honour


that my case may be considered on humanitarian grounds, so
that my service may be restored as per the Ordinance issued by
your honour.

Yours Obediently

(Liaquat Ali son of Haji Yar Muhammad


sial)
r/o: House NO.D-30 , University Colony,
Nawabshah ( District Shaheed Benazir
Abad)
Phone : 244-364136

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 District Police Officer,


Shaheed Benazir Abad.

SUBJECT:- REQUEST FOR THE POST OF POLICE CONSTABLE.

Respected Sir,

Humbly it is submitted that I have come to know to

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

same. I assure that if opportunity of being appointed as a Police

Constable is provided to me I shall leave no stone unturned for the

satisfaction of my superiors in performing my duties.

Thanking you and good anticipation.

Yours Sincerely.

(Muhammad Rafique S/O


Allah Dittal Mahessar)
r/o: Village Gulan Keerio,
Taluka Nawabshah.
District Shaheed Benazir
Abad.
Documents submitted
To

The District Police Officer,


Shaheed Benazir Abad.

SUBJECT:- REQUEST FOR REGISTRATION OF FIR


AGAINST WASEEM BAIG, ASIF KHAN &
THREE UNKNOWN PERSONS.
Respected Sir,

Van Toyota Hi-ace bearing registration NO.JF-3376, was


leased out to me by M/S ORIX Leasing Company limited, for which all
the cheques were obtained from me in advance and none from them
has been ever dishonoured. Besides the cheques in advance an other
amount of Rs.72,000/- was also obtained by accused Waseem Baig on
the pretext of expenditure in the shape of cheques each Rs.36,000/-
drawn on UBL Masjid Road Nawabshah. I also claimed for Insurance
as the vehicle faced major accident but that was also not got paid to me
on one or the other pretext by said Waseem Baig. After the transaction
was over I approached the accused so that the documents of vehicle
and other relevant documents might be handed over to me but they
refused, consequently I filed F.C. Suit Bearing No. 36 of 2009, in the
court of learned Ist. Senior Civil Judge, Nawabshah, for Damages,
Recovery of documents and Injunction, which annoyed the accused
and during the pendancy of the suit, they both robbed the vehicle from
me as well as Rs.2,00,000/-, for purchasing electronic material,
documents vehicle, copy of Civil Suit, kept in the vehicle, at Masjid
Road Nawabshah on 26.04.2009, at 6:00 pm on the awe of weapons
carrying by three unknown persons. I, my driver Sher Muhammad
Channar and Rafaquat Ali Bajwa tried our level best to resist them but
they not only aimed their weapons at us but also issued threats of dire
consequences. I immediately approached P.S A-Section Nawabshah for
help but due to high handedness of the accused persons I was kept on
false hopes and consequently refused to register the FIR.

That finding no other alternate, I approach before your


excellency, so that SHO P.S A-Section Nawabshah may be directed to
register my FIR against the accused and my grievance may be
redressed.

Thanks.

(TANVEER AHMED SON OF


MUHAMMAD SLAEH QURESHI)
R/O: Otaq Quarters, Nawabshah.
To

The ___________________________________

_______________________________________,

_______________________________________.

SUBJECT:- REQUEST FOR CANCELLATION OF ORDER


NO.TC/G-55/58, DATED: 09.01.2009, PASSED BY
DISTRICT OFFICER(ROADS) SHAHEED BENAZIR
ABAD & REDRESSAL OF GRIEVANCE BY
RELEASING ARRESTS AND PERMISSION TO
COMPLETE THE WORK

Respected Sir,

It is submitted as under:-

1). That I am duly approved Govt: Contractor in Class ”B”.

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.

4). That vide order No.Tc/G-55/1075 Nawabshah, dated:


08.05.2008 the work aforesaid was delayed by District Officer(Roads)
Nawabshah due to dispute over construction of link approach, that
was a reason why, the work was stopped and the extension at the
same time in the order was granted for three months.

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…

7). That after I came to know for the close of contract I


immediately approached the concerned and raised objections and
requested that I may be allowed to accomplish the work at the site
but I was refused on the pretext of political pressure.

8). That even I requested them that if District Officer (Roads) as


well as Executive District Officer(Roads) are not inclined to cancel
the order noted in the subject then the same might again be handed
over to me as I was and is willing and ready to accomplish the work
because of with holding of the payment for the work already done at
the site, but I was paid no heed .
9). That I also came to know that District Officer (Roads)
Nawabshah wants himself to do the work at site through his dummy
contractor.
.

I therefore, request that the order of District Officer


(Roads) mentioned in the subject may kindly be cancelled and I may
be put in previous position to complete the work and the payment
which has been withheld may kindly be directed to be issued to me.

Photostat copies of the orders mentioned above are


submitted herewith.

( ZULFIQAR ALI SON OF


NIZAM DIN DAWOODPOTO)
R/O: HOUSING SOCIETY
N.SHAH.
APPLICANT.

Copy to the District Officer (Roads) Shaheed Benazir


Abad (Nawabshah).
REPEATED QUESTIONS OF CONSTITUTIONAL LAW-
II
Q. No.1. What do you mean by powers and functions of the
Crown, give some examples of the prerogative of the Crown and
powers and functions?

Q. No.2. Will you explain in detail prerogatives of the Crown?

Q.No.3. What do you mean by prerogative of the Crown.

Q.No.4. State the personal prerogative of the Crown in detail.

Q.No.5. What are the functions of the British Cabinet?

Q.No.5. Discuss the position and power of the British Prime


Minister. What are the function of Cabinet and How the Prime
Minister regulates and controls its?

Q.No.6. Discuss the position and the powers of the British


Prime Minister?

Q.No.7. Discuss the term rule of law under the British


Constitution?

Q.No.8. Explain the rule of law according to the Diecy. What its
nature and general application?

Q.No.10. Explain the part played by Constitutional convention in


the British Constitutional system? Give examples.

Q.No.11. What are the most important conventions of the British


Constitution? Please Explain.

Q.No.12. What are the most important Convention of the British


Constitution?

Q.No.13. Define Constitutional Law? Explain the kinds of the


Constitutions.

Q.No.14. What is meant by the Constitutional Law? Discuss


briefly the nature and source of English Constitutional Law?

Q.No.15. Name and describe the source of English Constitutional


Law?
Q.No.16. Explain the doctrine of Parliamentary Sovereignty.

The Executive District Officer


(Education) Shaheed Benazir Abad

SUBJECT:- REQUEST FOR RECOVERY OF MISSING/STOLEN


ARTICLES.

Respected Sir

Since an oral invitation was given to SZABIT for establishing Cafeteria


for refreshment in Flower Show started from 25.02.2009 to 28.02.2009,
held in your kind office. The Cafeteria was established with all the
required facilities. The flower show came to an end in the mid night of
28.02.2009/01.03.2009, therefore, no arrangement could be made to
shift the articles kept in the cafeteria, hence all the articles were
gathered and were secured in bags. Due to odd hours of the night I
went to my house and came at the place where cafeteria was
established early in the morning to take the articles but I found
following articles were not available and were stolen away.

To

The Executive District Officer


(Education) Shaheed Benazir Abad

SUBJECT:- REQUEST FOR RECOVERY OF MISSING/STOLEN


ARTICLES.

Respected Sir

Since an oral invitation was given to SZABIT for establishing Cafeteria


for refreshment in Flower Show started from 25.02.2009 to 28.02.2009,
held in your kind office. The Cafeteria was established with all the
required facilities. The flower show came to an end in the mid night of
28.02.2009/01.03.2009, therefore, no arrangement could be made to
shift the articles kept in the cafeteria, hence all the articles were
gathered and were secured in bags. Due to odd hours of the night I
went to my house and came at the place where cafeteria was
established early in the morning to take the articles but I found
following articles were not available and were stolen away.

To
The Director General,
Federal Investigation Agency,
Head Quarters Islamabad.

Subject:- REQUEST FOR REINSTATEMENT FOR THE POST


OF ASI (BPS-9), IN FIA.

Respected Sir,

It is humbly submitted as under:-

1). That I was appointed as ASI ( BPS-9) in the Federal Investigation


Agency vide order No. 7/C/96- ( 2954), Islamabad dated 24-02-1996.

2). That in pursuance of order aforesaid my joining was effected at


FIA headquarter, Islamabad.

3). That after I joined the services I performed my duties honestly,


effectively and to the full satisfactions of my superiors with out any
complaint against me.

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.

7). That now I have come to know through advertisement


published in various newspapers on 1st April, 2009, for applying for
restoration in the service.

Therefore, I request that my service as ASI BPs-09 may


kindly be restored as per the Ordinance issued by the Honourable
President of Pakistan.
Yours Obediently

(Liaquat Ali son of Haji Yar Muhammad


sial)
r/o: House NO.B-30 , University Colony,
Nawabshah ( District Shaheed Benazir
Abad)
Phone : 244-364136

Enclosed
5. Photostat copy Appointment letter dated: 24.02.1996
6. Photostat copy of Termination letter dated: 15.12.1996

Copy in respect of Mr. Muhammad Liaquat Munir Rao , Joint


Secretary, (Administration) Ministry of Labour and Main
Power, Block (B) , Pakistan Secretariat Islamabad.
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 to live

an ordinary life, because of handedness of the accused persons and

influence in police department.

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.

6). That for the redressal of my grievance even I approached up to


the level DIG Hyderabad (Sindh) but of no avail.

7). That DSP Aslam Langah has been issuing threats that since the

accused were their friends therefore, nothing could be done against

them by any person/ authority.

Therefore, finding no other alternate but to request before


your lordship so that action against the perpetrators mentioned in the
subject may kindly be taken and justice may be done with me.
(Nazeer Ahmed S/O
Habibullah Rahu)
r/o: Village Hashim Rahu, Taluka
Daulatpur,
District Shaheed Benazir Abad
(Nawabshah) SINDH.

To
The Honourable,
Chief Justice,
Supreme Court of Pakistan.
Islamabad.

THROUGH: Registrar, Supreme Court of Pakistan.

SUBJECT:- REQUEST FOR ACTION IN ACCORDANCE WITH


LAW AGAINST ARAB SON OF WASARO (2)
ASHRAF SON OF HAJI BUDHO (3) HAJI WALI
MUHAMMAD SON OF HAJI JUMAN (4) HAJI BUDO
SON OF HAJI JUMAN (5) SHERAL SON OF MUBEEN
(6) MUHAMMAD ASLAM SON OF ASHRAF ALL
RAHU BY CASTE R/O: VILLAGE HASHIM RAHU,
TALUKA DAULATPUR, DISTRICT SHAHEED
BENAZIR ABAD (NAWABSHAH) SINDH. (7)
GHULAM SHABIR MANGRIO SIO P.S. KAZI
AHMED (8) ASLAM LANGHAH DSP TALUKA
DAULATPUR (9) HANIF MAHAR ASI P.S. KAZI
AHMED.

Honourable Sir,

It is humbly submitted as under:-

1). That about five months ago my younger brother namely

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

Aslam son of Ashraf Rahu with specific role.

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

to live an ordinary life, because of handedness of the accused persons

and influence in police department.


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.

6). That for the redressal of my grievance even I approached up to


the level DIG Hyderabad (Sindh) but of no avail.

7). That DSP Aslam Langah has been issuing threats that since the

accused were their friends therefore, nothing could be done against

them by any person/ authority.

Therefore, finding no other alternate but to request before


your lordship so that action against the perpetrators mentioned in the
subject may kindly be taken and justice may be done with me.

(Nazeer Ahmed S/O


Habibullah Rahu)
r/o: Village Hashim Rahu, Taluka
Daulatpur,
District Shaheed Benazir Abad
(Nawabshah) SINDH.

Copies are submitted to the :


1. Provincial Police Officer, Sindh, Karachi.
2. DIG , Hyderabad , Shahbaz Building Hyderabad.
3. DPO , Shaheed Benazir Abad (Nawabshah)
To

The Honourable,
Chief Minister,
Province of Sindh,
Karachi.

SUBJECT:- REQUEST FOR CANCELLATION OF


REGULARIZATION OF SO CALLED NON EXISTING
VILLAGE IN THE NAME OF ALLAH DITTO
BHAMBRO IN S.NO. 33, DEH AND UNION
COUNCIL KHAHI QASIM, TALUKA BHIRIA ,
DISTRICT N. FEROZE AND CANCELLATION OF
NOTIFICATIONS AND SUITABLE ENQUIRY IN
THIS REGARD.

Respected Sir,

We the undersigned humbly submit as under:-

1). That we the members of our family are rightful owners of


S.No.33, Deh Khahi Qasim, Taluka Bhiria , District N. Feroze and the
Revenue Record stands mutated in our names. We are resident of
Village Khahi Qasim, Taluka Bhiria, since the time of our forefathers.

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.

6). That the survey number aforesaid is purely an agricultural and


cultivable land but for ulterior reasons the same has been shown to
have been regularized to be village Allah Ditto Bhambro.
P/2…

P/2…

7). That absolutely there is no any public interest in regularization


of the name aforesaid being so called village in our survey number,
therefore, there is no lawful reasons for doing the same.

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.

It is therefore, requested that there is actually no village

in the name of Allah Ditto Bhambro in S.No. 33 , Deh Khahi Qasim,

Taluka Bhiria , District N. Feroze, therefore, the Notifications issued in

this regard on incorrect facts may kindly be cancelled and the original

position may be restored.

For this act of kindness we remain grateful.

(Haji Manzoor Ahmed son of


Dost Muhammad Memon)
r/o: Village Khahi Qasim, Taluka Bhiria
District N. Feroze.
STATEMENT

1). I, Asif Anwar Seehar son of Atta Muhammad Seehar ,

presently posted as Sub-Engineer, District Officer Road, Shaheed

Benazir Abad, state that Mr. Ghulam Mustafa Wasan , Govt.

Contractor was given contract for the construction of road from

Sarkari Khohi to Bachalpur road 2/2 to Sawan Khan Chandio mile .

0/4- 0/7 by the office District Officer Roads, Nawabshah and such

work order was also given to him bearing No.TC/G-

55/1525/Nawabshah, dated: 12.06.2007, in which he was bound to

accomplish the work within eight (08) months. Photostat copy of which

I submit as annexure “A”.

2). Initially the work was started by the contractor aforesaid

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

matter to Deputy District Officer (Roads) Daulatpur, where from a

letter bearing No.SDC/D/Pur.1033 of 2008, Daulatpur, Dated:

28.07.2008, was issued to Mr. Ghulam Mustafa Wasan with the

direction to resume the work within 07 days without any further delay.

Photostat copy of which I submit herewith as annexure “B”.

3). There after a reminder bearing No.SDC/D/Pur.1050 of

2008, Daulatpur, Dated: 11.08.2008 was issued to said Ghulam Mustafa

Wasan as final notice for completing the work by Deputy District


Officer (Roads) Daulatpur and copy of the same letter was also

submitted to the District Officer (Roads) Nawabshah for information

and further necessary action, but even then he did not resume the work

at site. Photostat copy of which is submitted herewith as annexure “C”.

4). Consequent to the letter mentioned in preceding para the

District Officer (Roads), Nawabshah issued letter No.TC/G-

55/1882/Nawabshah, dated: 21.08.2008, to Ghulam Mustafa Wasan for

resuming the work at site, otherwise action could be taken against him

under clause 3(a) of the agreement. This was also mentioned to be

treated as Final Notice. Photostat copy of which is submitted herewith

as annexure “D”.

P/2…

5). Despite of the letters issued to said Ghulam Mustafa

Wasan , Govt. Contractor, he did not resume the work at site ,

therefore, people / villagers moved application dated: 01.01.2009 to

District Officer (Roads) Shaheed Benazir Abad complaining against the

contractor for not resuming the work. Photostat copy of which I submit

herewith as annexure “E”.

6). That due to slackness of the contractor for not resuming

the work an other reminder bearing No.SDC/D @ K.A/13 of 2008,


D/K Ahmed dated: 03.01.2009 was issued to the contractor aforesaid.

Photostat copy of which I hereby submit as annexure “F”.

7). Due to the slackness of Mr. Ghulam Mustafa Wasan,

Govt. Contractor, I was directed by my Superior Officers to visit the

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

whom I instructed to resume the work. Consequent upon my visit Mr.

Ghulam Mustafa Wasan, Govt. Contractor , called me from his cell and

misbehaved, abused not only to me but also used filthy language

against my superiors including DDO and DO (Roads), hence I

submitted such report to Deputy District Officer (Roads ) Daulatpur, at

Kazi Ahmed on 17.02.2009. Photostat copy of which I hereby submitted

as annexure “G”.

8). In pursuance of my report my superior officer viz.

Deputy District Officer (Roads) Daulatpur at Kazi Ahmed reported the

matter through a letter bearing No.SDC/K/Ahmed/216 of 2009

K/Ahmed, dated: 18.02.2009, to District Officer (Roads) Shaheed

Benazir Abad. Photostat copy of which I submitted herewith as

annexure “H”.

P/3…
P/3…

9). Consequent to the letter mentioned in preceding Para

District Officer (Roads) Shaheed Benazir Abad submitted report with

regard to misbehave took place with me by the said contractor through

a letter bearing No.HC/G148/ 674 of 2009 , dated: 19.02.2009.

Photostat copy of which I hereby submit as annexure “I”.

10). That keeping in view the letters / reports / complaints,

aforesaid Deputy District Officer (Roads) Daulatpur at Kazi Ahmed

issued letter No.SDC/K/Ahmed/ 266 of 2009 dated: 28.02.2009, for

completing the work as per agreement otherwise his payment would

be stopped. Photostat copy of which I hereby submit as annexure “J”.

11). Since Mr. Ghulam Mustafa Wasan, Govt. Contractor did

not abide by the contract for completing the work at site and due to the

correspondence aforesaid and to save himself from the consequences

of any action against him he has made a false complain against me so

that I may knee down before him for supporting him illegally,

otherwise neither I have committed any offence nor any illegal demand

has been made to him and whatever written in complaint against me is

false, fabricated and creative of mine of the said contractor on the other

hand he is continuously issuing threats himself and by other persons


for dire consequences, hence his complain being false and is liable to be

dismissed.

(Asif Anwar Seehar)


Sub- Engineer (Roads)
Sub-Division Daulatpur, at
Kazi Ahmed

To

The Executive District Officer


(Education) Shaheed Benazir Abad

SUBJECT:- REQUEST FOR RECOVERY OF MISSING/STOLEN


ARTICLES.

Respected Sir

Since an oral invitation was given to SZABIT for establishing Cafeteria


for refreshment in Flower Show started from 25.02.2009 to 28.02.2009,
held in your kind office. The Cafeteria was established with all the
required facilities. The flower show came to an end in the mid night of
28.02.2009/01.03.2009, therefore, no arrangement could be made to
shift the articles kept in the cafeteria, hence all the articles were
gathered and were secured in bags. Due to odd hours of the night I
went to my house and came at the place where cafeteria was
established early in the morning to take the articles but I found
following articles were not available and were stolen away.

STOLEN / MISSED ARTICLES:


1. One Micro oven.
2. Two sand-witch makers.
3. Two fire burners.
4. One Gas cylinder.
5. One steel water tank.
6. 60 spoons.
7. 12 Glasses
8. Two carpets.
9. 05 Crates of cold drinks standard size each crate containing
24 bottles.
10. One cutting board.
11. One vegetable chopper.
12. 05 crates of tins (cold drinks) each containing 12 tins.
13. 05 packets of Juices each packet containing 35 juices.
14. Two calculators etc.

It is therefore, requested that enquiry may be conducted so that my


articles aforesaid may be recovered and handed over to me.

Thanks.
Yours truly,

(Mehar Afshan Memon)


SZABIST
NAWABSHAH.
To
The-----------------
Dubai Police

SUBEJCT: REQUEST FOR TAKING LEGAL ACTION AGAINST


MR. SAJID FAROOQUE SON OF GHULAM RASOOL
HAVING PAK PASSPORT No.KB-218620 & VISA NO.
201/2004/704700, FOR RECOVERY MY AMOUNT OF
DRAMS 4000.00.

Sir,

1). That I am business partner in Mark International


Company having my business at Dubai.

2). That the person mentioned in the subject came into


contact with me and entered into contract for preparing my company’s
Profile and CDs for the consideration of Daram 4000.00.

3). That in pursuance of the contract taken place in between me and


person mentioned in the subject I issued a Cheuqe Baring No.________,
dated:______, drawn at Bank Al-Mashriq, which was duly honoured as
the same was issued in the name of Mr. Mansoor who was the broker
of person mentioned in the subject.

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.

7). That due to my repeated visits incidentally Sajid Farooque came


a cross to me whom I disclosed about the facts aforesaid so that he may
either comply with the contract or returned the amount but he bluntly
refused from either liability and even issued threats of dire
consequences if I ever again approach to him in this regard.
8). That now due to the conduct and attitude of Mr. Sajid Faroqoue,
whose Pass port has already been expired, I came to know that he is to
evade from the country and I am having apprehension that he may
usurp my valuable consideration.
8). That since Mr. Sajid Farooque has played fraud with me by
committing cheating, therefore, he is liable to be taking action against
him with prayer that my amount may also be recovered from him and
delivered to me.
Thanks

To

The Managing Director,


Pakistan International Air Lines,
Head Office Karachi.

SUBJECT:- REQUEST FOR EMPLOYMENT IN PIA ON THE BASIS


OF SON QUOTA.

Respected Sir,

That my late father was employee in Pakistan International Air Lines


serving as traffic Supervisor, who had died in the year of 1991.

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.

I therefore, humbly request that my request may kindly be


considered.

I shall remain thankful for the above act of kindness.

My Bio Data is as under:-

Name:- Faisal Rasool F/Name:- Ghulam Rasool Caste:- Zardari


Qualifications:- B.A Domicile:- ( Nawabshah ) Rural

Yours Faithfully

Faisal Rasool Zardari


S/o Late Ghulam Rasool Zardari,
R/o H.No 1170, Near Gul Medical
Centre Gharibabad Nawabshah
CNIC NO 45402-2292348-9
CELL NO 03337011269.

(MAQBOOL AHMED
MUGHAL)
ADVOCATE
H # II-B, 772, Masjid Babe Rehmat
Street
Near Old Yateem Khana, Manuabad
Nawabshah.

To

The Honourable Registrar,


High Court of Sindh,
Karachi.

THROUGH: HONOURABLE DISTRICT & SESSIONS JUDGE,


SHAHEED BENAZIR ABAD.

SUBJECT:- REQUEST FOR APPOINTMENT AS OATH


COMMISSIONER, AT NAWABSHAH, DISTRICT
SHAHEED BENAZIR ABAD.

Respected Sir,

That I have been engaged in legal profession since 2005


being enrolled by Sindh Bar Council.

It is submitted that I want to act as Oath Commissioner at


Shahdadpur Road, Nawabshah, District Shaheed Benazir Abad, if your
honour appoint me so.

I therefore, humbly request that my request may kindly


be considered.

I shall remain thankful for the above act of kindness.

Yours Faithfully
(MAQBOOL AHMED
MUGHAL)
ADVOCATE
H # II-B, 772, Masjid Babe Rehmat
Street
Near Old Yateem Khana, Manuabad
Nawabshah.
Enc: Photostat copies

1. Enrolment Certificate issued by Sindh Bar Council.


2. Enrolment Card issued by Sindh Bar Council.
3. Membership / No Dues Certificate from DBA Shaheed
Benazir Abad.
4. Copy of CNIC.
To

1). The Honourable Chief Minister Sindh,


Sindh Secretariat Karachi.
2). The Honourable Governor Sindh,
Governor House, Karachi
3). The Honourable Home Minister Sindh,
Sindh Secretariat Karachi.
4). The Provincial Police Officer,
Sindh, Karachi.
5). The Capital Police Officer, Karachi.
6). The District Police Officer, District Malir, Karachi.
7). The District Police Officer, Shaheed Benazir Abad

SUBJECT:- REQUEST FOR LEGAL ACTION AGAINST SUB-


INSPECTOR HAQ NAWAZ S/O NABI BUX
PHULPOTO, POSTED AT P.S. SAUDABAD,
LANDHI, DISTRICT MALIR, KARACHI.

Respected Sir,

It is humbly submitted that the person mentioned in the


subject is issuing threats of committing murder not only to me but also
to my parents as well as pouring acid on my person.
I have also filed a suit bearing Family Suit No.231 of 2008
pending in the court of learned 1st. Senior Civil Judge/ Family Judge,
Nawabshah, for jactitation of marriage, as he has also managed some
false documents purporting to show myself as his wife but infact that
has never been taken place at all.
Due to fear at the hands of the person mentioned in the
subject I also filed a Protection application before the Honourable
Sessions Judge / Justice of Peace, District Shaheed Benazir Abad and
such protection was ordered to District Police Officer, Shaheed Benazir
Abad be provided to me vide order dated: 18.12.2008.
Even after the aforesaid litigation he is adamant to cause
his illegal demands accepted be my with the threats of murder as well
as pouring acid on my person.
Therefore, I request that legal action against him may
kindly be taken so that justice may be done with me and necessary
protection may be provide to me as well as my family / parents at the
hands of said Sub-Inspector Haq Nawaz Phulpoto.

(Mst. Kausar D/O Abdul Wahid


Memon)
r/o: Govt. Employees Co-Operative
Housing
Society, Nawabshah.
Applicant.

SUBJECT:-
To

The UK/ Dubai Consultant At Dubai,

APPEAL AGAINST THE ENTRY


Subject:
CLEARANCE OFFICER’S DECISION FOR
REFUSAL OF GRANTING VIZA TO UK
RESPECTING MR. ANWAR ALI.

Ref: THE ENTRY CLEARACNE OFFICER’S


DECISION.

R/Sir,

It is respectfully submitted I had applied for UK viza and


that regard I submitted the required documents alongwith application
with UK consultant at Dubai. After scrutiny of my documents submitted
by me, my application for granting viza was turned down by the
concerned, hence this appeal on the following grounds;
1. I have been working with Canada Star Transports Company
(L.L.C) at Dubai since 2007.
2. I am business partner in the company mentioned supra for two
years and residing alongwith my family in company paid
accommodation.
3. Transport as well as other expenses are being borne by the
company.
4. Few months ago a viza for two years for UK had already been
granted to me for my entire family, but when I applied a viza for five
years my request has been turned down raising the objections vide
paragraphs No. 4, 5 and 6 respectively.
5. With regard to objection mentioned in para No. 4, it is submitted
that my company affords every expenditure including accommodation
and transport being the business partner for two years.
6. With regard to objection mentioned in para No. 5, it is submitted
that I had already deposited all the relevant documents including
passport which was self explanatory, therefore, there was nothing
hidden by your office regarding rejection of viza for Germany. So for the
objections of enquiry through a telephonic call is concerned, the person
enquiring from me in my opinion was not well conversant with English
language, as he was deem to be a Philpino nationality, therefore, there
was misunderstanding in understanding the conversation of mine and
him.
7. So for objection with regard to deposit of amount in my account
is concerned it is submitted that since I am a business partner in the
company aforesaid therefore cheques are issued in my name therefore
the same have been deposited in month and I am also drawing
monthly emoluments up to 15,000/- Dhirms, therefore, this objection
has no force, on the basis which my request would have been turned
down.
Therefore, in the circumstances and the facts disclosed
aforesaid I request that my case may be reviewed and reconsidered so
that viza may be granted to me as requested.
was granted to me for my entire
family humblyA respectfully submitted that there was taken
place and incident in our village in which one Mushtaque Ahmed was
died and such FIR was registered on 01-11-2007, bearing crime No.
165 of 2007 at PS Kazi Ahmed District Shaheed Mohtarma Benazir
Bhutto against unknown persons. However, matter was investigated
into and proved to be suicide case and such order dated: 04.09.2008,
was passed by learned Civil Judge & Judicial Magistrate-II, Sakrand
holding that cause of death of the deceased Mushtaq Ahmed son of
Muhammad Ashraf Khoso remained undetermined and disposed of the
case in N.C (cancelled) class.

Even after the final disposal of the case aforesaid, said


Muhammad Ashraf Khoso is behind me as well as my other family
member to entangle in false criminal and civil litigation nothing but to
blackmail me on one or other pretext as he has been heard to the
people that he would extort money from me being a solid party in his
view.

Being aggrieved and blackmailed at the hands of said


Muhammad Ashraf Khoso in league with the local police I find no help
from any corner therefore, you are requested to help me legally as well
as morally so that I may not be involved falsely, and blackmailed.

I am looking for your kind help.


Thanks.
Yours faithfully

(Habibullah S/o Abdul Ghafoor Kumboh)


Pass Port No.AF-6035981
C/O: Dr. Abdul Majeed Shaikh ,
Al Shaffa clinic, Main Road Kazi Ahmed,
Taluka Daulatpur, District Shaheed
Mohtarma Benazir Bhutto (Nawabshah).

To

General Magistrate
O.P.F Sindh
Karachi.

Subject: REQUEST FOR LEGAL AS WELL AS MORAL


ASSISTANCE BY PROVIDING PROTECTION FROM
MUHAMMMAD ASHRAF, GHULAM RASOOL,
HAROON AND ABDUL KARIM KHOSO BY CASTE,
R/O VILLAGE MUHAMMAD RAMZAM KHOSO, DEH
KAZI AHMED TALUKA DAULATPUR DISTRICT
SHAHEED MOHTARMA BENAZIR BHUTTO.

R/Sir,

It is respectfully submitted that there was taken place and


incident in our village in which one Mushtaque Ahmed was died and
such FIR was registered on 01-11-2007, bearing crime No. 165 of 2007
at PS Kazi Ahmed District Shaheed Mohtarma Benazir Bhutto against
unknown persons. However, matter was investigated into and proved
to be suicide case and such order dated: 04.09.2008, was passed by
learned Civil Judge & Judicial Magistrate-II, Sakrand holding that cause
of death of the deceased Mushtaq Ahmed son of Muhammad Ashraf
Khoso remained undetermined and disposed of the case in N.C
(cancelled) class.

Even after the final disposal of the case aforesaid, said


Muhammad Ashraf Khoso is behind me as well as my other family
member to entangle in false criminal and civil litigation nothing but to
blackmail me on one or other pretext as he has been heard to the
people that he would extort money from me being a solid party in his
view.
Being aggrieved and blackmailed at the hands of said
Muhammad Ashraf Khoso in league with the local police I find no help
from any corner therefore, you are requested to help me legally as well
as morally so that I may not be involved falsely, and blackmailed.

I am looking for your kind help.


Thanks.
Yours faithfully

(Habibullah S/o Abdul Ghafoor Kumboh)


Pass Port No.AF-6035981
C/O: Dr. Abdul Majeed Shaikh ,
Al Shaffa clinic, Main Road Kazi Ahmed,
Taluka Daulatpur, District Shaheed
Mohtarma Benazir Bhutto (Nawabshah).
To

Mr. Muhammad Ashfaque,


Assistant Director,
O.P.F Islamabad.

Subject: REQUEST FOR LEGAL AS WELL AS MORAL


ASSISTANCE BY PROVIDING PROTECTION FROM
MUHAMMMAD ASHRAF, GHULAM RASOOL,
HAROON AND ABDUL KARIM KHOSO BY CASTE,
R/O VILLAGE MUHAMMAD RAMZAM KHOSO, DEH
KAZI AHMED TALUKA DAULATPUR DISTRICT
SHAHEED MOHTARMA BENAZIR BHUTTO.

R/Sir,

It is respectfully submitted that there was taken place and


incident in our village in which one Mushtaque Ahmed was died and
such FIR was registered on 01-11-2007, bearing crime No. 165 of 2007
at PS Kazi Ahmed District Shaheed Mohtarma Benazir Bhutto against
unknown persons. However, matter was investigated into and proved
to be suicide case and such order dated: 04.09.2008, was passed by
learned Civil Judge & Judicial Magistrate-II, Sakrand holding that cause
of death of the deceased Mushtaq Ahmed son of Muhammad Ashraf
Khoso remained undetermined and disposed of the case in N.C
(cancelled) class.

Even after the final disposal of the case aforesaid, said


Muhammad Ashraf Khoso is behind me as well as my other family
member to entangle in false criminal and civil litigation nothing but to
blackmail me on one or other pretext as he has been heard to the
people that he would extort money from me being a solid party in his
view.

Being aggrieved and blackmailed at the hands of said


Muhammad Ashraf Khoso in league with the local police I find no help
from any corner therefore, you are requested to help me legally as well
as morally so that I may not be involved falsely, and blackmailed.

I am looking for your kind help.


Thanks.
Yours faithfully

(Habibullah S/o Abdul Ghafoor Kumboh)


Pass Port No.AF-6035981
C/O: Dr. Abdul Majeed Shaikh ,
Al Shaffa clinic, Main Road Kazi Ahmed,
Taluka Daulatpur, District Shaheed
Mohtarma Benazir Bhutto (Nawabshah).
To

1). The Honourable Chief Justice


High Court of Sindh,
Karachi.

2). Honourable District & Sessions Judge/


Justice of Peace,
Shaheed Mohtarma Benazir Bhutto.

3). Provincial Police Officer,


Sindh, Karachi.

4). Regional Police Officer,


Hyderabad.
To

The District Police Officer,


Shaheed Mohtarma Benazir Bhutto

SUBJECT:- REQUEST FOR REGISTRATION OF FIR AGASINT


WAHID BUX GHORIANI, ALI SHER GHORIANI
AND WARYAM MAGSI ALL R/O NEAR JARA
WATERS, OWN HOUSES, TALUKA NAWABSHAH,
DISTRICT SHAHEED MOHTARMA BENAZIR
BHUTTO, FOR EXTENDING MURDERIOUS
THREATS, USING ABUSIVE LANGUAGE AND
THEFT FROM MY HOUSE.

Respected Sir,

It is respectfully submitted that I had registered FIR bearing


crime No. 35/2007, PS B- Section, Nawabshah, U/S 457 and 380 PPC,
against Waryam Magsi and such case was challaned and is pending in
the court of learned Civil Judge and Judicial Magistrate –II,
Nawabshah, therefore, accused Waryam used to issue threats to
withdraw from the case aforesaid.

On 02-12-2008 I along with my brother Abdul Karim was


coming on motor cycle from my village towards Nawabshah town,
when at about 9:00 AM we reached at Jam Sahib Road near timber
shops, accused aforesaid came in front of our motor cycle by aiming
their weapons having in their hands at us and asked us to stop to the
motorcycle. Due to fear I stopped the motorcycle. Accused Waryam
who was armed with gun, kept his gun straight on us and asked the
other accused who both were armed with pistol to grapple us so that
we may not be spared. On saying so accused Ali Sher and Wahid Bux
started inflicting fists as well as but blows of their weapons to me. My
brother Abdul Karim intervened, on which accused Waryam warned
me that if I do not withdraw from the case pending against him in the
Court of Civil Judge and Judicial Magistrate-II, Nawabshah, they
would kill me, send thieves into my house and get my self removed
from service by his influence on false charges. Thereafter they went
away while abusing.

I then moved to get my FIR registered against them, but could


not succeed, hence finding no other alternate except to approach your
excellency by moving this application that FIR against accused may be
registered, so that they may be brought to book and justice may be
done with me.
Thanks.

APPLICANT

Abdul Majeed S/o Allah Ditto


Mahessar,
Nawabshah R/o Village Gullan Keerio, Taluka
Dated: 04-12-2008 Nawabshah, District, Shaheed
Mohtarma Benazir Bhutto.
my son Abbas along with co-villagers namely Ali Gul and Gul
Hassan both sons of Mevo Brohi went to the invitation of the maternal
uncle of Gul Hassan at Cheezalabad village and after returning there
from, they were arrested by the police of P.S Jam Dattar on the pretext
that NICs were not available with them. They were brought at P.S Jam
Dattar and both the persons mentioned in the subject demanded
Rs.50,000/- for the release of my son as well Gul Hassan and Ali Gul
Brohi. I requested them that since the boys were not involved in any
offence and there identification was clarified therefore, I was not able
to give such gratification demanded by them, which annoyed them
and they falsely involved all these boys in false cases, viz. Crime No. 32
to 36 of 2008, of P.S Jam Dattar.

Finding no other way and being not able to face/ pursue


the false cases registered by the police officials mentioned in the subject
, I request that an enquiry be conducted and my son along with other
boys may be set at liberty from the false cases and action according to
law may be taken against them.

This prayer is made in the interest of justice.

(MANZOOR ALI S/O MUHAMMAD


URIS RIND)
r/o: Village Inayat Ali Rind, Deh 89 Nusrat,
Taluka Nawabshah, District Shaheed
Mohtarma Benazir Bhutto

5). District Police Officer,


Shaheed Mohtarma Benazir Bhutto

6). Taluka Police Officer, Nawabshah.

SUBJECT:- REQUEST FOR ENQUIRY AND ACTION AGAINST


SIP/ SHO ABDUL MALIK ABRO & ASI
MUHAMMAD SHARIF JAMALI, BOTH OF P.S. JAM
DATTAR.

Respected Sir,

It is respectfully submitted that my son Abbas along with


co-villagers namely Ali Gul and Gul Hassan both sons of Mevo Brohi
went to the invitation of the maternal uncle of Gul Hassan at
Cheezalabad village and after returning there from, they were arrested
by the police of P.S Jam Dattar on the pretext that NICs were not
available with them. They were brought at P.S Jam Dattar and both the
persons mentioned in the subject demanded Rs.50,000/- for the release
of my son as well Gul Hassan and Ali Gul Brohi. I requested them that
since the boys were not involved in any offence and there identification
was clarified therefore, I was not able to give such gratification
demanded by them, which annoyed them and they falsely involved all
these boys in false cases, viz. Crime No. 32 to 36 of 2008, of P.S Jam
Dattar.

Finding no other way and being not able to face/ pursue


the false cases registered by the police officials mentioned in the subject
, I request that an enquiry be conducted and my son along with other
boys may be set at liberty from the false cases and action according to
law may be taken against them.

This prayer is made in the interest of justice.

(MANZOOR ALI S/O MUHAMMAD


URIS RIND)
r/o: Village Inayat Ali Rind, Deh 89 Nusrat,
Taluka Nawabshah, District Shaheed
Mohtarma Benazir Bhutto
PROMISORY NOTE

I, Irfanullah son of Rehmatullah, Arain by caste,


Muslim, adult, resident of Ward-3, Mohallah Gharibabad, Bandhi
Town, Taluka Daur, District Nawabshah, do hereby promise to pay Rs.
4,55,000/- (Rupees Four Lacs and Fifty Five Thousands only) to
Rafaqat Ali son of Haji Ali Mohammad, Arain by caste, resident of
Sindh Super Store, Mohni Bazar, Nawabshah on 01-09-2008 or on
demand.
I make this promise for the repayment of loan aforesaid in presence of
witnesses mentioned herein below.

EXECUTANT

WITNESSES

1_____________________ 2__________________________

Dated;- 05-01-2008.
To

Mr. Muhammad Ashfaque,


Assistant Director,
O.P.F Islamabad.

Subject: REQUEST FOR LEGAL AS WELL AS MORAL


ASSISTANCE BY PROVIDING PROTECTION FROM
MUHAMMMAD ASHRAF, GHULAM RASOOL,
HAROON AND ABDUL KARIM KHOSO BY CASTE,
R/O VILLAGE MUHAMMAD RAMZAM KHOSO, DEH
KAZI AHMED TALUKA DOULATPUR DISTRICT
NAWABSHAH.

R/Sir,

It is respectfully submitted that there was taken place and


incident in our village in which one Mushtaque Ahmed was died and
such FIR was registered on 01-11-2007, bearing crime No. 163 of 2007
with PS Kazi Ahmed District Nawabshah against unknown persons.
However, matter was investigated and proved in investigation to be
suicide, but the police of PS Kazi Ahmed to extort money illegally and
malafidely has started to harass me and my family. Notwithstanding
neither we were aware about the incident of aforesaid nor we are
involved in the case.

Being aggrieved by the police and circumstances, we find


no help from any corner therefore, you are requested to help us legally
as well as morally so that we may not be involved falsely, and
blackmailed.

We are looking for your kind help.


Thanks.
Yours faithfully

(Habibullah S/o Abdul Ghafoor Kumboh)


Pass Port No.AF-6035981
C/O: Dr. Abdul Majeed Shaikh ,
Al Shaffa clinic, Main Road Kazi Ahmed,
Taluka Daulatpur, District Nawabshah.
To

The City Survey Officer,


Nawabshah.

Subject: REQUEST FOR ISSUANCE OF CERTIFIED TURE


COPY OF EXTRACT FORM OF PORPERTY
.

R/Sir,

It is respectfully submitted that certified true copy of


Extract Form mentioned in the subject may kindly be granted as per
urgent cost, as the same are required to be submitted in the Court of
learned 1st Senior Civil Judge/ Rent Controller I am student of LL.B
part-III. I reside out side Nawabshah city, therefore, I come to
Nawabshah and return there from daily to my residence.
Sir it is further submitted that due to Ramzan-ul-Mubarak it will
be difficult for me to attend the classes during the said month,
therefore, I may be granted leave from attending the classes during the
holy month of Ramzan.
I shall remain thankful to you for this act of kindness.

Dated: 03-09-2008 Yours obediently

Dilsahd Ali Channa


S/o Muhammad
Haroon Channa
To

The Principal,
Quaid-e-Azam Law College,
Nawabshah.

Subject: REQUEST FOR ONE MONTH LEAVE.

R/Sir,

It is respectfully submitted that I am student of LL.B part-


III. I reside out side Nawabshah city, therefore, I come to Nawabshah
and return there from daily to my residence.
Sir it is further submitted that due to Ramzan-ul-Mubarak it will
be difficult for me to attend the classes during the said month,
therefore, I may be granted leave from attending the classes during the
holy month of Ramzan.
I shall remain thankful to you for this act of kindness.

Dated: 03-09-2008 Yours obediently

Dilsahd Ali Channa


S/o Muhammad
Haroon Channa
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%.

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,

The Executive District Officer,


Works and Services Department,
District Shaheed Benazir Abad.

Subject:- REQUEST FOR ISSUACNE OF BLANK TENDER.

REF: Publication in daily Kawish Hyderabad dated for


invitation of tenders.

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.

Since I have moved heaven and earth for obtaining the


blank tender, as requested in my application, but of no avail,
therefore, I request that blank tender may kindly be issued to me
as soon as possible according to rules and regulations.

An early action is requested in this regard.

Thanking you.

Yours faithfully

Muhammad Ismail
Pirzada
Govt: Contractor.
Copy submitted to;

1. District Officer Roads, District Shaheed Benazir Abad for


information.
1. That I was appointed as Assistant Sub Inspector vide letter
No.OB/952 Nawabshah, dated:-11.4.1990 by Superintendent of
Police Nawabshah. (Photo Copy attached).

2. That vide letter NO.OB/544 Nawabshah dated:-6.3.1991, I


was discharged from service with effect from 19.1.1991 (Photo
copy attached).

3. That I performed my services without any complaint from


any corner during the period of my service but without assigning
any reason my services were discharged nothing but on political
victimization.

4. That I was under bonafide impression that my services


were discharged without any cause, therefore, I would be
reinstated soon but it could not be done so.

5. That some of our fellows who were appointed alongwith me


approached to the court of justice for their reinstatement and
were succeeded, photo copy of order NO.7614/ASI/E-2, Karachi,
dated:-23.4.1994 is submitted.

6. That since my case is at part with the persons mentioned in


the order vide preceding paragraph, therefore, I may be given
same relief.
7. That expecting on humanitarian ground I request that my
services may kindly be restored/reinstated alongwith back
financial and service benefits.

For this act of kindness, I shall ever remain thankful to you.

Your's Faithfully,

Zafar Ali S/o Lala Jam Samo


Unnar
R/o H.NO.A-68, Housing
Society,
Nawabshah.
Dated:-

To,
The Honourable,
Chief Minister, Sindh,
Karachi.

Subject:- REQUEST FOR REINSTATMENT IN SERVICE


ALONGWITH PAST
FINANCIAL AND SERVICE BENEFITS IN POLICE
DEPARTMENT.

Respected Sir,

It is humbly submitted as under:-


1. That I was appointed as Assistant Sub Inspector vide letter
No.OB/952 Nawabshah, dated:-11.4.1990 by Superintendent of
Police Nawabshah. (Photo Copy attached).

2. That vide letter NO.OB/544 Nawabshah dated:-6.3.1991, I


was discharged from service with effect from 19.1.1991 (Photo
copy attached).

3. That I performed my services without any complaint from


any corner during the period of my service but without assigning
any reason my services were discharged nothing but on political
victimization.

4. That I was under bonafide impression that my services


were discharged without any cause, therefore, I would be
reinstated soon but it could not be done so.

5. That some of our fellows who were appointed alongwith me


approached to the court of justice for their reinstatement and
were succeeded, photo copy of order NO.7614/ASI/E-2, Karachi,
dated:-23.4.1994 is submitted.

6. That since my case is at part with the persons mentioned in


the order vide preceding paragraph, therefore, I may be given
same relief.

7. That expecting on humanitarian ground I request that my


services may kindly be restored/reinstated alongwith back
financial and service benefits.

For this act of kindness, I shall ever remain thankful to you.

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.

Subject:- COMPLAINT AGAINST PROGRAM DIRECTOR, PSU-


PEOPLES' PRIMARY HEALTH CARE INITIATIVE, SINDH, KARACHI.
Respected Sir,

It is submitted that applications were required for the


post of Medical Officer/ Female Medical Officer from the
candidates vide advertise published in different news papers.
Consequently candidates were informed to appear in
the examinations on Tuesday the 26th August, 2008 at 10:00 AM for
District Thatta, at PSU Sindh PPHI, 1 st floor, C-130 block No.2,
Clifton, Karachi. There were specific direction that no unfair
means of any kind, approach/ influence would be allowed. It was
further transpired thereat that result of the test would be
announced on the same day at the closure of the test.
The result of written test was affixed on the notice
board accordingly and Viva Voce test was taken place, in which
the candidates who were declared successful but later on PD
used the method of pick and choose by ignoring the merit and
capability of the candidates.
Since PD has committed gross misconduct by
ignoring the merit list and prepared the list thereafter on his own
whims. PD from his action and attitude looked like a partial to his
choice candidates without considering that whether they were
eligible or not.
We hope that appointments would be reconsidered
according to merit and we further expect that action against PD
would be taken in the interest of justice and equity because of
ruining the program launched by the Government of Sindh.

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.

1. That I was appointed as Assistant Sub Inspector vide letter


No.OB/952 Nawabshah, dated:-11.4.1990 by Superintendent of
Police Nawabshah. (Photo Copy attached).

2. That vide letter NO.OB/544 Nawabshah dated:-6.3.1991, I


was discharged from service with effect from 19.1.1991 (Photo
copy attached).

3. That I performed my services without any complaint from


any corner during the period of my service but without assigning
any reason my services were discharged nothing but on political
victimization.
4. That I was under bonafide impression that my services
were discharged without any cause, therefore, I would be
reinstated soon but it could not be done so.

5. That some of our fellows who were appointed alongwith me


approached to the court of justice for their reinstatement and
were succeeded, photo copy of order NO.7614/ASI/E-2, Karachi,
dated:-23.4.1994 is submitted.

6. That since my case is at part with the persons mentioned in


the order vide preceding paragraph, therefore, I may be given
same relief.

7. That expecting on humanitarian ground I request that my


services may kindly be restored/reinstated alongwith back
financial and service benefits.

For this act of kindness, I shall ever remain thankful to you.

Your's Faithfully,

Zafar Ali S/o Lala Jam Samo


Unnar
R/o H.NO.A-68, Housing
Society,
Nawabshah.
Dated:-
To,

Subject:- REQUEST FOR ACTION AGINST MUHAMMAD ASLAM


BHATTI POSING HIMSELF TO BE THE READER OF THE
SESSIONS COURT NAWABSHAH AND HIS SON MUHAMMAD
HASSAN BHATTI AND OTHERS.

Honourable Sir,

It is humbly submitted that I am residing in Sakrand


town and zamindar by profession. Some relatives of Muhammad
Aslam Bhatti are residing in Sakrand town, where he and his sons
come frequently. About three months ago one Muhammad Hassan
son of Muhammad Aslam Bhatti came at medical store of my son
namely Ashique Ali, which is situated at Nawabshah more (turn)
Sakrand town and asked my son that he was in bitter need of
some medicines on credit, as he was having no money with him.
Said Muhammad Hassan purchased the medicines of Rs. 1000/-.
Looking to the condition of Muhammad Hassan my son Ashique
Ali felt pity and delivered the medicines on credit, but Muhammad
Hassan did not turn back till the passage about two months. On
11-07-2008 said Muhammad Hassan was seen by my son Ashique
Ali in Sakrand town and he demanded his outstanding, on which
said Muhammad Hassan was annoyed and threatened my son
that, since he is son of the Reader of the Sessions Court and if
again the amount is asked for then it would not be fair for my
whole family as he would get my son as well as other family
members entangled into false cases, on which some altercation
was taken place.
It is further submitted that due to grudge aforesaid
Muhammad Aslam Bhatti, his son Muhammad Hassan Bhatti and
others fought with my son at Nawabshah and even moved to
police on false contention. On my approach to Muhammad Aslam
Bhatti he kept Faisla before Abdul Haq Jamali (District Nazim
Nawabshah), Khan Bahadur Bhatti (Taluka Naib Nazim
Nawabshah) and Ali Asghar Rind, but on stipulated date party of
Muhammad Aslam Bhatti did not come there, on the contrary
Muhammad Aslam Bhatti started threatening m on telephone/
mobile, which harassed me being the person of old age and heart
patient.

(PAGE-2)

It is further submitted that today viz 11-08-2008 at about 5


pm my son Ashique Ali alongwith Abbas Chandio and Shoukat Ali
was available at Nawabshah more (turn) in Sakrand town, when
accused Muhammad Hassan alongwith two unidentified persons
way led my son and aforesaid witnesses and asked that since he
had insulted, therefore, they would not leave my son, saying so
they started inflicting kicks and fist blows and snatched Rs. 5000/-
and mobile phone from my son and threatened that if my son is
seen ever in Nawabshah or found available at medical store at
Sakrand town, he would be killed.

My son came at home and informed me about the incident


aforesaid, therefore, I request that action against the accused be
taken and legal protection may kindly be provided.

For this act of kindness, I shall ever remain thankful to you.

Your's Faithfully,

Dhani Bux S/o Haji Hussain


Ali,
Mohalla Leelabad Sakrand
Town
District Nawabshah.
Dated:-11-08-2008 Cell No.03003213640.
To,

The Accountant General,


Pakistan Revenue, Sub-office,
Karachi.

SUBJECT:- REQUEST FOR SANCTION OF HOUSE PURCHASE


ADVACE .
ON PRIORITY BASIS.

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.

1. That I am serving in income tax department since September,

1994.

2. That at present I am working as a LDC B.Ps-7 on Basic Pay of

Rs.5020/-.

3. That Sir I have not my own residential house nor any

accommodation provided by the department. Due to non availability of

residential house I am facing much difficulties in rented house during

this hard days.


4. That Sir being a low paid Govt. servant, it is not possible for me

to purchase residential house from my own pocket.

Sir, the undersigned applicant had applied for house purchase

advance on

dated;25.7.2002 through proper channel which was duly forwarded by

the Commissioner of Income tax Hyderabad Zone Hyderabad, vide his

endorsement No.229 dated:28.8.2002. In response to above, my name

was stands at Ordinary Serial No.2223 on the list in computer of your

honour's office.

After then I have submitted an other application through proper

channel requested therein for sanction of loan on TOP PRIORITY

BASES Vide Commissioner of income tax Hyderabad Zone Hyderabad

vide his endorsement No.795 dated:4.4.2003, but the same had not

been entertained. Those employees who have filed their application

after above their loans had been sanctioned from your good office.

Since the basic pay of applicant has been increased during the

period from 1.12.2007, the amount of House Purchase Advance loan

has also been increased and amount of advance may kindly be treated

as under:-

Cont Page-2

Page-2

Rs.5020/- X 36 = Rs. 1,80,720/-


Your kind honour is therefore requested to consider my

application out of turn in view of grievances and reasons stated

above, and sanction the applied advance loan at an earliest, for which I

shall remain grateful to you Sir.

Thanking You in good anticipation,

Your's Obediently,

Dated:- 20.05.2008. (MUKHTIAR AHMED


QURESHI)
L.D.C
INCOME TAX
DEPARTMENT,
HYDERABAD ZONE
HYDERABAD.
NO BALANCE CERTIFICATE.

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.

1. Basic Pay Rs.5020/-


2. House Rent Rs.
3. Medical Allowance Rs.425/-
4. Spl: Allowance 100% Rs.5020/-
5. S.A.A 25% Rs.350/-
6. S.R.A 15% Rs.510/-
7. A.R.A 15% Rs.510/-
8. D.A 15% Rs.621/-

_____________

GROSS RS.

DEDUCTION

1. G.P.FUND Rs. 230/-

2. B.Fund Rs.100/- Rs.330/-


________ ________

NET PAYABLE Rs.


CHARACTER CERTIFICATE.

This is to certify that Mr. Muhammad

Mohsin son of Muhammad Mubeen Shaikh, is

known to me since last five years

He bears good moral character

He is not related to me.


To

The Senior Superintendent Police,


Shaheed Benazir Abad.

SUBJECT:- REQUEST FOR THE POST OF CONSTABLE BPS- 5.

Respected Sir,

It is submitted that I Shahid Ali S/o Muhammad Paryal,


came to know that some posts of police constables are lying vacant
under your kind control in District Shaheed Benazir Abad.

It is further stated that I have matriculate and physically


fit for job of police department and my other siblings are going to
School and College in different classes and my father can not maintain
them alone with his meager income and I would like to support and
help my father to upbringing my others brothers and sisters.

It is, therefore, humbly requested before your kind


honoure that consider my application sympathetically and a chance
may kindly be given to me.
I shall ever remain thankful to you for this act of
kindness.

Applicant

Shahid Ali S/o Muhammad Paryal.


R/o Taj Colony Nawabshah

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