You are on page 1of 12
ke REPUBLIC OF GHANA WRIT OF SUMMONS 1 [soc log ssi) O18 (Order 2 rule 3(1)) WRIT ISSUED FROM scene . wove 20, Lor NO. IN THE HIGH COURT OF JUSTICE ‘OMMER VISION Eo MENZGOLD GHANALIMITED “3 (J@O VO O18 7 Opposite Nogahil Hotel Plaintiff: Accra AND 1.BANKOFGHANA [9 06 © 0% /2.)9 Defendant: ‘One Thorpe Road, High Street, Accra = j 2. SECURITY AND EXCHANGE COMMISSION & S© OTS GL To No.303" Circular Road, Cantonment, Accra (Plaintiff will direct service) . . AN ACTION having been commenced against you by the issue of this Writ by the above-nanied plaintiff MENZGOLD GHANA LIMITED zeuaRe HIBREBY COMMANDED that within EIGHT DAYS after service of this ‘ox ybu) ir inclusive of the day of service you do cause an appearance to be vent «6 {95 yo BANK OF GHANA 2. SECURITY AND EXCHANGE COMMISSION “ie ae Qaxp NOTICE that in default of your so doing, judgment may be given in your al eee further notice to youl. BANK OF GHANA Mtef.. 2. SECURITY AND EXCHANGE COMMISSION Dated ¢ ge, of Sup bow Ste ro. f. Chief Justice of Ghana SOPHIA A.B, AKUFFO (MS) NB: This writs tebe served within twelve calendar months from the date of issue unless itis renewed within six calender mothe froma dats af that renewal - The defendant may appear hercto by fling « notice of appearance either personally or by lawyer at Form § atthe Registry of the Court of sue of the welt at “A defendant appearing personally may, he desires, give matice of appearance by post. + State name, Place of residence or business address of plant if Lnown (not FO. Bax mame}. Stare name place of residence business address of defendant (nat PO, Box number). Fons ATE! SEE ATTACHED ‘The Plaintiff's Claim is forggainst the 1* and 2~ Defendants per its Writ of Summons as follows: DATED AT KWAME AKUFFO & CO. UNLIMITED, ACCRA, THIS 26™ DAY OF SEPTEMBER, 2018. Mere wet Kwame Boafo Akuffo Kwame Akuffo & Co, Unlimited Lawyer for the Plaintiif License Number. GAR 15181/18 This Writ was issued by ~~ Kwame Akuffo & Co. Unlimited Capital Place Block “B" whose address for service is 1] Patrice Lumumba Road Airport Residential Area, Accra Agent for Kwame Boafo Akuffo, Esq., yer for the plaintiff Temertorihe ene who resides at Accra Indorsement to be made within 3 days after service This Writ was served by me at On the defendant on the day of endorsed the day of SIQMCU so. epeeennen NOTE: Ifthe plaintift's claim is for liquidated demand only, further proceedings will be stayed if swithin the time limited for appearance the defendant pays the amount claimed to the plaintiff, his lawyer of his agent or into Court as provided for in Order 2 rule 3 (2). a. A declaration that the Plaintiff's business does not fall within the present legislated scope of the Banks and Specialized Deposit - Taking Institutions Act 2016 (Act 930); b. A declaration that Plaintiff's business activities does not fall within the present legislated scope of the Security Industry Act, 2016 (Act 929); <. A declaration that the I Defendant's Notices No. BG/GOV/SEC/2018/12 and BG/GOV/SEC/2017/24 dated 6* August 2018 and 25% November, 2017 respectively have hurt the business reputation of the Plaintiff; d. A declaration that the 2~! Defendant's Notice No. SEC/PN/002/09/2017 dated 22 September 2017 has harmed the business reputation of the Plaintiff; ¢. A_ declaration that the I Defendant's Notices No. BG/GOV/SEC/2018/12 and BG/GOV/SEC/2017/24 dated 6 August 2018 and 28" November, 2017 respectively are an abuse of the Defendant's discretionary powers contrary to Article 23 and Article 296 of the 1992 Constitution; f. A declaration that the 2™ Defendant's Notice No. SEC/PN/002/09/2017 dated 224 September 2017 is an abuse of the Defendant's discretionary powers contrary to Article 23 and Article 296 of the 1992 Constitution; g- A declaration that the directives contained in the letter of 7" September 2018 was an abuse of the 2! Defendant's discretion as same was arbitrary, capricious and contrary to Article 23 and Article 296 of the 1992 Constitution: h. An order setting aside the directives contained in the 2! Defendant's letter dated 7% September 2018; i. An order of the Court directed at the 1* and 2“! Defendants to publish an unqualified retraction and an apology with the same prominence with respect to the Notices dated 6 August 2018 and 22“ September 2017 respectively; j. An order of Perpetual Injunction to restrain the I* and 2™ Defendants, its officers, servants and agents from interfering with the Plaintiff's business activities or further acts of disobedience and non- compliance with law by publishing any such derogatory Notices; k. Exemplary and Aggravated Damages for the harm caused to the Plaintiff's business reputation; 1. An order specifying a time limit within which the judgment of this Court should be complied with; m. General Damages; and n. Cost inclusive of the Plaintiff's Legal Fees.

You might also like