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The Chairman,
Capital Development Authority,
Islamabad.
Sir,
It is, therefore, requested that the Petition may very graciously be accepted
and the Petitioner be appointed as legal counsel/legal advisor for Capital
Development Authority, Islamabad.
Thanking you.
Yours truly,
Dear Sir,
I would like to submit before your honor that I want to withdraw the above cited
application dated 09.1.2003, whereas, the application enclosed with this letter
may very graciously be considered and action may kindly be taken on this letter
and the subject Plot may very graciously be transferred jointly in the name of
following legal heirs:-
i) Muhammad Arshad
ii) Muhammad Saeed
iii) Muhammad Ahmad sons of late Ch. Muhammad Hussain.
Yours truly,
Dated: 30.6.2003.
( Muhammad Ahmed )
S/o late Ch. Muhammad Hussain,
Resident of House No.11, Street No.22, F-7/2,
Islamabad.
To
The Director,
Estate Management, CDA,
Islamabad.
1. That the above mentioned Plot was originally allotted to late Ch.
Muhammad Hussain and his wife Mst. Sughra Hussain, whereas, said
Muhammad Hussain has died on 16.2.2002 and after his death it has been
agreed upon by the legal heirs/shares that subject property be transferred
in the name of following three legal heirs and rest of the legal heirs have
forgone/released their rights, claims and share in the subject property:-
i) Muhammad Arshad
ii) Muhammad Saeed
iii) Muhammad Ahmad all sons of late Ch. Muhammad Hussain.
2. The following documents are attached herewith for your kind perusal and
further proceedings:-
In the light of above it is, therefore, most humbly prayed that the subject property
may kindly be transferred alone in the name of above mentioned three legal heirs
by virtue of Release Deed.
Yours faithfully,
Dated: 16.8.2003.
Mst. Sughra Hussain,
NIC # 101-33-002283
R/O House # 11, Street # 22, F-7/2,
Islamabad.
Serial No. 03- 678
Respectfully submitted:-
I had been appointed Court Auctioneer in the above titled case by the Order of
this Honorable Court vide Order dated 13.6.2003 for auction of Plot No.1645,
Sector E-16, Islamabad. A precise report is given below:-
1. After obtaining the Robkar and the orders of the court, I twice visited
the office of Cabinet Division Employees Cooperative Housing
Society, Islamabad and got complete information regarding the plot
under auction.
2. After that I visited the site of the said Plot and examined all the
circumstances at the spot.
Dear Sir,
The undersigned applicant has got published the press notice, as advised by
you in your letter cited above, in two dailies i.e. Nawa-I-Waqat and Asas
both dated 26.7.2003. Copies of both the newspaper and six photographs of
all the legal heirs are attached herewith for your further process in this regard.
Yours faithfully,
ATTESTED BY:
UNDERTAKING
I, Syed Nusrat Hussain Zaidi son of Syed Ali Hassan Zaidi have received the
deed of Cancellation of Gift dated 13th March, 2001 regarding the House
No.1298/5, Jehangir Building Sunhari Masjid Road, Peshawar Cantt from my
elder brother named Syed Zulfiqar Hussain son of Syed Ali Hassan Zaidi, the
owner of the said house.
Sir,
You are, therefore, very kindly requested that I may be allotted a house in Sector
G-6, near Federal Services Hospital, Islamabad.
Thanks in anticipation.
Yours obediently,
Respected Sir,
The applicant humbly submits that he is an ordinary worker and earning livelihood
for his kids and family by doing shuttering. The applicant is faithful and loyal to his
motherland, Pakistani nation and the Honorable President General Pervez Musharaf
and the President is dearest personality for the applicant.
So, I request your honor to please give me an opportunity and arrange for my
meeting with His Excellency General Pervez Musharaf, President of Pakistan so that
I could talk and explain my feelings and views, which I have in my heart,for my
beloved country and dear nation.
Always God bless you and I pray for your prosperity and long life.
Yours faithfully,
Mr. Manzoor-ul-Haq,
Executive Vice President,
National Bank of Pakistan Ltd.,
Mezzanine Floor, Chappel Plaza,
Hasrat Mohani Road, Former NBL Affairs Wing,
Karachi.
Dear Sir,
I would like to intimate your office that being a nominee of Mr. Zahoor Ahmed
Khan and Ch. Muhammad Sharif Handwalia has submitted a cheque No. CA
1503604 in the amount of Rs.37,50,00000/- in the court of Mr. Aamir Saleem Rana,
Civil Judge, Islamabad. As according to the Agreement dated 8.5.2004 the above
said amount is due against me being a nominee/assignee of the above named
persons.
I would also like to intimate you that the said Ch. Muhammad Sharif Handwalia and
Mr. Zahoor Ahmed Khan purchasers of M/s Olympia Inn. (Pvt) Ltd. (owner of five
star hotel Plot in Blue Area, F-7 & G-7, Islamabad) have reached at a compromise
and acknowledged the undersigned as their nominee/assignee before the court of Mr.
Aamir Saleem Rana, Civil Judge, Islamabad.
In light of above mentioned facts it is requested that the said amount (a copy of
cheque is attached with the application) may kindly be collected from the honourable
court to complete the Tri Petite Agreement at the earliest.
Thanking you.
His Excellency,
With respect it is submitted that the appellant owned a residential house at Nai
Abadi, Khadrapur, Mohallah Irfanabad, Tramri, Islamabad and I am residing therein
with my family. My house is only 15 Meter away from SNGPL pipeline in the said
area. I applied to SNGPL, Islamabad for a domestic gas connection at my above said
house vide Application No.D-172 dated 5.6.2004 and the same was send to drawing
section vide Sales Department No.2251 dated 17.5.2005 but I have not yet been
provided gas connection at my house till now. The appellant and his family are
suffering because in the surrounding area all the houses have been provided gas
connections and I am living without this basic necessity/facility. I have tried my best
and exhausted but all my efforts were remained fruitless.
Earlier I have submitted an application on the subject matter before your honour but
unfortunately I have not yet been provided the gas supply at my home.
In view of the above your honour is, therefore, requested that SNGPL, Sector I-9,
Industrial Area, Islamabad be directed to provide gas supply at my above said house
and to complete all the requisite formalities and to issue demand notice.
Yours truly,
Dear Sir,
We manage to meet both ends but ever since the earthquake I have no place to
provide shelter to my siblings and myself, all of my children are minor. There is
nothing for us to live all of our belongings, cattle have either been destroyed or killed
due to horrific earthquake.
Presently, due to extreme cold weather and lack of shelter I have came to Rawalpindi
and got temporary shelter here at Allahabad Rawalpindi, which is over crowded.
There are no education facilities and I am very much concerned about the fact that
my children might not ever be able to go to schools. In these circumstances I am in
dire need of monetary, shelter, food and clothing assistance.
Therefore, it is requested that kindly assist me in this time of crisis and miseries and
to help me and my family. I will be highly thankful.
Yours sincerely,
Dear Sir,
3. That the applicant offers his services to act as chief law officer in OGDCL
against the vacant post.
It is, therefore, requested that your honour may very graciously be pleased to appoint
the applicant as Chief Law Officer in OGDCL, Islamabad.
Thanking you.
Yours faithfully,
Dear Sir,
So for the above mentioned reason it is most respectfully prayed that the
aforementioned amount, which has been deposited by me in you bank, may very
graciously be refunded to me.
Yours truly,
Venerated Sir,
It is submitted that the applicant is a retired from armed forces and has served the
forces in the trade of vehicle mechanic (VM). The applicant is below 40 years of age
and is physically fit for the performance of any job in the capacity of job allocated to
the applicant. The bio data of the applicant is as under:-
The applicant is most deserving and suitable candidate for any job if allocated
according to the qualifications of the applicant.
Yours faithfully,
( SIKANDAR KHAN )
House No.150, Street No.73,
Sector G-9/3, Islamabad
The Director,
Specialized Companies Division,
Securities & Exchange Commission of Pakistan,
Blue Area, Islamabad.
2. That the present prevailing situation the market value of the both the vehicles
in question is much below than that the applicant has already paid to the
Bank. In detail it is submitted that price of the Bus aforementioned in not
more than Rs.10,00,000/-, whereas, the M/Car’s price is not higher than
Rs.600,000/- approximately as per prevailing market rate. Thus the applicant
has paid much higher price against both the vehicles to the Bank and now
there is nothing outstanding against the applicant payable to the Bank on
account of above mentioned vehicles but the Bank concerned with malafide
intention and for ulterior motives demanding some more amount and interest
against both the vehicles.
3. That the applicant has already suffered a huge financial loss besides mental
torture and agony but the bank concerned is bent upon and forcing the
applicant through illegal means to fulfill their illegal demands for payment of
undue, unwarranted and unjustified amount on the so-called pretext.
Although the applicant is entitled for issuance of NOC of both the vehicles
from the Bank but the Bank is reluctant to issue the same to the applicant
rather they have refused to issue the same.
4. That the applicant is a law abiding citizen; presently he is facing fiscal
crunches and is not able to fulfill the illegal demands of the Bank. The
applicant run from pillar to post in order to get rid of the illegal demands of
the Bank but of no avail, hence the present application is being preferred
before your honor to redress the grievances of the applicant.
In these circumstances it is, therefore, most humbly prayed to look into and consider
the request of the applicant for exemption from payment of any further illegal mount
or so-called interest against both the vehicles and the Bank concerned be directed to
issue NOC to the applicant in order to meet the ends of the justice.
Yours truly,
_______________________________
_______________________________
_______________________________
The Deputy Secretary (Corporate),
Printing Corporation of Pakistan (Pvt.) Ltd.,
Islamabad.
That since the year 2004 the applicant has been performing his duty in the office of
Deputy Secretary (Corporate) and I am managing the following affairs:-
ii) To make and ensure the annual payment of token tax of all the
official vehicles and to get registration of the same.
2. Sir, everybody knows that all the works in court need expenses, which I have
to bear from my own pocket. The applicant has not been paid all the above
mentioned expenses, which is injustice towards the applicant.
It is, therefore, most humbly prayed that a special allowance @ Rs.5000/- per month
for the above mentioned field duties on behalf of PCP may kindly be sanctioned and
paid to the applicant.
Yours obediently,
Respected Sir,
I have been serving in PCP since 1979 and in the year 1989 I was promoted as Steno
Typist (BPS-12). I performed various duties in different branches of PCP and I was
never attached to any officer to take dictation. All the work which I have done till to
day is the file work, making notes, typing work and other duties in different
capacities. In year 2009, I was awarded move over Pay Scale 13.
During the entire period of my duty with PCP I served diligently, honestly and with
my utmost zeal and efficiency. My total service in PCP is now come to 31 years and
my age is about 55 years.
Keeping in view my service in PCP it is most humbly prayed that my services may
kindly be converted to Office Assistant (BPS-14), which is consistence with my
duties in consistence with my experience and the work done so far.
Yours obediently,