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Imran Majeed Arain

B.A, LL.B
Advocate
Cell: 0333-7018808
Office Address:-Moni Bazar, Nawabshah.

Ref:-_______ Date___________

To,

1. Zonal Manager Sui Sudhren Gas Company,


Housing Society, Nawabshah.

2. CRD Branch Sui Sudhren Gas,


Housing Society, Nawabshah.

3. CFC Branch Sui Sudhren Gas,

FOR Sher Afsar Khan son of Gul Feroze Khan,


R/o: Mohlla Saeed Abad Double Road,Old Nawabshah.

SUBJECT:- LEGAL NOTICE

Dear Sir,
Under the instructions of my above named client I give you the legal
notice as under:-

1). That my above named client is consumer of Sui Sudhren Gas Company,
since long. The above Sui Gas connection is installed in his house viz house No.
C-787 situated at Mohalla Saeed Abad Double Road Old Nawabshah.

2). That one namely Talah son of Ghulam Hyder is relative of my above named
client and residing in said house No. C-787, with out any terms and conditions only
being a relative.

3). That the installed sui gas connection is not in use and disconnected since
long.

4). That the Talah son of Ghulam Hyder has moved application to your good
office for re-opening the same sui gas connection with out getting permission from
my above named client and with out any documentary authority. My above named
client is sole owner of said house and the previous sui gas connection was installed
in the name of my above named client.

5). That my client through this legal notice is intimating and request you that
action kindly can not be taken on application of Talah son of Ghulam Hyder and sui
gas connection may not re-open with out the permission of my above named client,
if said sui gas connection be re- open then my client will be on liberty to invoke the
cometent court civil as well as criminal on your own risk and cost.

Please note.

(IMRAN MAJEED ARAIN.)


ADVOCATE
Rao Muhammad Jawaid
B.A, LL.B
Advocate High Court Cell: 0333-7586974.
Nawabshah. Office Address:-Kutchery Road,

Ref:-_______ Date___________

To
Muhammad Aslam S/o Muhammad Shareef,
By caste Arain, R/o village Muhammad Shareef Arain,
Near Kazi Ahmed, Nawabshah.

FORM.
Muhammad Altaf Mughal S/o Fazal Ahmed
R/o H # C-143, Near Ghosia Masjid, Nawabshah.

SUBJECT:- LEGAL NOTICE

Dear Sir,
Under the instructions of my above named client I give you this legal notice as
under:-

1). That my above named client is owner of land measuring 12 acres situated at Deh 34 Dad,
Taluka Nawabshah, District Shaheed Benaizabad.

2). That you have approached to my above named client and requested to him that you have
required sand for supply to Bharia Town, Nawabsha, being a contractor.

3). That on your request my client has agreed and it was oral agreement has been made
between you and my above named client, thereafter you have started taking the sand from the
land of my above named client. That you were paying the amount of sand to my above named
client. That about 4 months back you have started round for taking the sand and amount comes to
Rs. 3,08,000/= on which you have paid Rs.2,50,000/= to my above named client, and the
remaining amount of Rs.58,000/= to take one month time from my client on your request my
above named client grant time, after 1 month my above named client approached to you and
many time visit and made many phone calls to you but you give false hopes to him, and lastly on
week back you bluntly refused to my above named client.

4). That my above named client through this legal notice intimate to you that return the
remaining amount of Rs.58,000/= to my above named within seven days, other wise my client
shall at liberty to resort to legal remedy for criminal as well as Civil on your own risk and cost.

Please note.
(Rao Muhamamd JawaId)
ADVOCATE
Jahangeer Ali Khan
B.A, LL.B
Advocate High Court Cell: 0333-7022073

Office Address:-Kutchery Road, Nawabshah.

Ref:-_______ Date___________

To
Dr. Manoj Kumar son of Mohan Lal,
Near Passport Office, Society,
Nawabshah.
FOR
Dr. Nisar Ahmed Abbasi
(Ph,D)
R/o. Mohni Bazar, Nawabshah.

SUBJECT:- LEGAL NOTICE

Dear Sir,
Under the instructions of my above named client I give you the legal notice as
under:-

1). That you are the owner of the house which is situated in Mohni Bazar with adjacent with
the house of my above named client. And you have constructed a water tank which is lying on the
roof of your building said water tank is higher than to the building of my above named client.

2). That when such water tank filled and water overtop than extera water flowing towards the
building of my above named client and the extra water is cuasing the damages to the building,
lying wheat and other house hold articles etc.

3). That on this horrible situation my above named client met with you four times at your
house early in the morning as well as you have visited the site at Mohni Bazar and seen the
situation and promised to my above named client but did not complice your words and kept him on
flase hopes and promises.

4). That my client through this legal notice intimate you that to stop the overtop / extra water
coming towards the building of my my above named within fifteen days, other wise my client shall
at liberty to resort to legal remedy for criminal as well as Civil on your own risk and cost.

Please note.

(JAHANGEER ALI KHAN)


ADVOCATE

Jahangeer Ali Khan


B.A, LL.B
Advocate High Court Cell: 0333-7022073
Office Address:-Kutchery Road, Nawabshah.

Ref:-_______ Date___________

To
Aamir Basheer son of Basheer Ahmed Arain,
R/o Rao Haneef colony, Nawabshah.

FOR
Babar Ali son of Muhammad Ismail,
R/o. Syed Abad, Nawabshah.

SUBJECT:- LEGAL NOTICE

Dear Sir,
Under the instructions of my above named client I give you the legal notice as
under:-

1). That you entered into sale agreement with my above client vide sale agreement non
judical stamp paper No. 10591 dated: 05.12.2013, for a residential Plot No. 118, area 1250 Sq.Ft.
Deh 87-A Nusrat, situated at Mairaj City phase ll, Nawabshah , District Shaheed Benazir Abad, on
05-12-2013 for a total sale consideration of Rs. 3,25,000/-.

2). That at the time of sale agreement my client received Rs. 2, 00,000/- (50000/- in shape of
cash and Rs. 150000/- through cheque, No: 441478 dated 05.12.13) as an advance money being
the part payment of sale consideration from you and 2nd payment of Rs. 50,000/- was to be paid in
some time before the Registry and sale letter, and the balance payment of Rs. 75,000/= at the
time of registary.

3). That after some time you were issued cheque, bearing No. 4414180 dated 05.02.2014 of
Rs. 1,00,000/= on account of above mentioned sale agreement but the same was dishounoured
on presentation.
4). Thereafter my client well in time approached to you and informed you about
dishonourment of said cheque and again disclosed the terms and conditions of such sale
agreement and you have failed to do so as per agreement. But you did not give any positive
response.
5). Therefore, that you have made defaulter yourself and you are not ready to complete your
part as per agreement, Photostat copy of sale agreement and memo of dishonour checque which
has been issued by you are attached herewith.
6). That my client through this legal notice inform you to comply with the agreement of sale
within Ten days, otherwise as per sale agreement your paid amount as advance money Rs.
2,00,000/- shall be forfeited. And my client will be on liberty to knock the door of competent courts
civil as well as criminal.

Please note.

(JAHANGEER ALI KHAN)


ADVOCATE
Shahnila Raput
Advocate
B.Com, LL.B. Cell: 0312-3636930

Jam Sahab Road, Line par Nawabshah.


Ref:-_______ Date___________

To
Mst. Sanobar D/o Abdul Rehman,
R/o Sarfaraz Colony, Gali No. 1,
Abdul Rehman, Sabzi Wala, Hyderabad.

For
Mr. Qasim S/o Ali Sher Shah,
R/o: House No. 836, Ward No. 6, Mohalla Syedabad,
Double Road, Nawabshah.

SUBJECT:- LEGAL NOTICE.

Respected Mada,

Under the instructions of my above named client I give you the legal notice as
under:-
1). That my client Qasim S/o Ali Sher Shah entered into marriage with you ( Mst. Sanobar) on 01-
01-2013 and you were brought by my client at his home and the marriage was consummated.

2). That you (Mst. Sanobar) resided with my client happily in his house in accordance with
injunction of Islam for about 4/5 month after the marriage was taken place.
3). That on 18th May 2013 your mother arrived in the house of my client for a visiting purpose in
and requested to give permission her to get her daughter for Hyderabad for meeting with your
others sisters and brother and other relatives.

4). That you went to the house of your parents about one month ago but did not return back as
yet, despite of repeated approaches of my client to you.

5). That my client have came to know that you are pregenant and my client is want to get your
delievery in his house and not in the house your parents as he is feeling that his child as well as
your pergenancy is not in safe hands and in case of any mishappeing in this regard that you and
your parents will be responsible.

6.) That due to your conduct and attitude you are not carrying out the marital obligation with my
client, for which you are oblige to do so.

You are therefore, given this notice to come into the house of my client to perform marital
obligations, other wise my client shall at liberty to resort to legal remedy for restitution of conjugal
rights as well on your own risk and cost.

Please Note

Nawabshah.
Dated: Shahnila Rajput.
Jam Sahab Road, Linepar,
Nawabshah.
ADVOCATE

Asif Hamayun Mughal Off: 0244-288000


Advocate High Court B.Sc LL.B. Cell: 0333-8273775
House No: C S.2143 Near Ghousia Masjid, Camp No. 2, Nawabshah.

Ref:-_______ Date___________
To,
1. Mst. Shabnam Iqbal,
W/o Muhammad Iqbal Khan, Arain,
Housing Society, Nawabshah.

2. Shakeel Ahmed S/o Mian Iftikhar Ahmed, Arain,


Housing Society, Nawabshah.

FOR :
Asghar Ali S/o Abdul Aziz, Arain,
Nawasbshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir ,
I put in to your hands legal notice as per instructions of my above named client, as
under:-
1). That my name above client is residing on above mentioned address.

2). That my client has purchased a residential flat bearing C. S No. X- 10/3, (Westren Portion)
area 94 sq yard formed out of City Survey No. 2267/2/3 situated at Governement
Employees Co Operative Housing Society Limited Nawabshah, city Nawabshah, District
Shaheed Benazir Abab.

3). That the said flat was purchased by my client from Mst Shabnam Iqbal and the same
registered in the name of my client, the photocopy of the registry is attached herewith.

4). That the said registry was made on 18-06-2012, but on your request my has allowed you
to reside is said flat for five months and after five my client approached you and asked to
vacate the flat and handed over the same to Mr. Nisar Ahmed Abbasi wants to construct a
new house on same plot and he also want to use the above 9” inch wall for this purpose
which is in his possession the above mentioned wall which length is about 60 ft which total
comes to 540 sq ft for that purpose the same wall total 18” inch must be destroyed than my
client constract a new house.

5). That Mr. Nisar Ahmed Abbasi is law abiding citizen and many times approached to you
with two respectable nebghourer as well as your relative Mr. Saeed Ahmed Memon and
informed you about his problem but you did not any response to him. Mr. Nisar Ahmed
Abbasi has constracted four pilors in your hosue on his own cost for the safety of your
house but you are not ready for destroying the same wall and the constraction work is
stopped from many days due to your irresponsibility and Nisar Ahmed Abbasi also ready to
reconstract the same wall which total measurement is 18” and the same wall will be
constracted in two portion.

6). That my client wants to your help for constraction of his house but you did not co-operate
with him till today and he has no hope from you that you will co-operate with him near
future.

7). That my client through this legal notice inform you now he is going to destroying the wall
which measurement is 9” inch and same is in his possession and during the constraction if
any incident is happen you will be responsible for that becaue you are not ready to co-
operate with my client.
You are therefore, advised to perform your part as a good citizen of civil soeity and
contact with my with in 7 days after receiving this legal notice, otherwise he shall have no
alternate but to avail legal remedies / reliefs avaialbel to him against you on your own risk
and costs.

Please note.
(ASIF HAMAYUN MUGHAL)
ADVOCATE
Jahangeer Ali Khan
B.A, LL.B
Advocate High Court Cell: 0333-7022073

Office Address:-Kutchery Road, Nawabshah.

Ref:-_______ Date___________

To
Muhammad Asghar son of Muhammad Sharif, Mughal,
R/O Habib Sugar Mills, Colony, Nawabshah.

FOR
Muhammad Waqar Hussain son of Muhammad Iftikahr Hussain,
R/o. Habib Sugar Mills, Colony, Nawabshah.

SUBJECT:- LEGAL NOTICE/ REMINDER

Dear Sir,
Under the instructions of my above named client I am sending you reminder of
legal notice which has been sent you already on____________ .

1). That you entered into sale agreement with my client Muhammad Waqar Hussain son of
Muhammad Iftikhar Hussain, vide sale agreement stamp paper S.No. 6711 dated: 13.08.2012, for
a Plot No. 11, area 1560 Sq.Ft. situated at Bismillah Colony, Nawabshah , District Shaheed
Benazir Abad, on 13-08-2012 for a total sale consideration of Rs. 7,0,2000/-.

2). That at the time of sale agreement my client received Rs.4, 00,000/- (Four Lac Only) in
shape of cash as an advance money being the part payment of sale consideration from you and
balance amount was Rs. 3,00,000/- was to be paid on 14-02-2013 at the time of registry and
possession.

3). That my client well in time approached to you and asked to you to give him the balance
sale consideration viz. Rs. 3, 00,000/- and cause the registered sale deed effected in your favour.
That however my client has obtained all required documents in this regarad and ready to execute
the sale deed in your favour, according to the sale agreement, and in this regard he has already
informed you verbally and through your friends/ business partner but after that you did not
response positively and after that alos tried many time to contact with you on your cell phone as
well as left the message on your face book address but you did not give any response,
4). Therefore, that you have made defaulter yourself and you are not ready to complete your
part as per agreement, Photostat copy of sale agreement is attached herewith.

5). That therefore in this regard he has already informed you through last legal notice but you
did not give any response after receiving the legal notice, so that this is final legal notice as well as
reminder to inform you to comply with the agreement of sale within five days, otherwise as per
sale agreement your paid amount as advance money Rs. 4, 00,000/- shall be forfeited.
Please note.

(JAHANGEER ALI KHAN)


ADVOCATE

Jahangeer Ali Khan


B.A, LL.B
Advocate High Court Cell: 0333-7022073

Office Address:-Kutchery Road, Nawabshah.

Ref:-_______ Date___________

To
Muhammad Asghar son of Muhammad Sharif, Mughal,
R/O Habib Sugar Mills, Colony, Nawabshah.

FOR
Muhammad Sharif son of Chandan Khan, Khokhar,
R/o. Mohalla Malik Colony, Nawabshah.

SUBJECT:- LEGAL NOTICE.

Dear Sir,
I have instructions from my client, to address you as under:-
1). That you entered into sale agreement with my client Muhammad Sharif son Chandan
Khan, Khokhar, vide sale agreement stamp paper S.No. 9578 dated: 30.11.2012, for a Plot No.
59-B, area 1080 Sq.Ft. situated at Deh Khiyarion, A- One Town, Nawabshah, District Shaheed
Benazir Abad, for a total sale consideration of Rs. 60,5000/-.

2). That at the time of sale agreement my client received Rs.3, 00,000/- (Three Lac Only) in
shape of cash as an advance money being the part payment of sale consideration from you and
your also given one cheque viz cheque No. C 12307351 dated 10 th February 2013 amounting to
Rs. 2, 00,000/- (Two Lac Only), and on dated 21-02-2013, my client presented the cheque for
encashment but bank authority returned the same along with memo, due to insufficient funds.
3). That my client well in time approached to you and asked to you to give him the balance
sale consideration viz. Rs.30, 5,000/- and cause the registered sale deed effected in your favour.
That however my client has obtained all required documents in this regarad and ready to execute
the sale deed in your favour, according to the sale agreement, and in this regard he has already
informed you verbally and through your friends/ business partner but you did not give any
response,

4). Therefore, that you have made defaulter your and you are not ready to contact with my
client in any manner.

5). That therefore, through this legal notice to inform you to comply with the agreement of sale
within ten days, otherwise as per sale agreement your paid amount as advance money Rs.
3,00,000/- shall be forfeited.
Please note.
Yours truly

(JAHANGEER ALI KHAN)


ADVOCATE

Jahangeer Ali Khan


B.A, LL.B
Advocate High Court Cell: 0333-7022073

Office Address:-Kutchery Road, Nawabshah.

Ref:-_______ Date___________

To
Muhammad Ashraf son of Rajab Ali, Qureshi,
R/O Mohalla Essarpura, Nawabshah.

FOR
Muhammad Sharif son of Chandan Khan, Khokhar,
R/o. Mohalla Malik Colony, Nawabshah.

LEGAL NOTICE/ REMINDER

Dear Sir,
Under the instructions of my above named client I am sending you reminder of
legal notice which has been sent you already on 11-04-2013.
1). That you entered into sale agreement with my client Muhammad Sharif son Chandan
Khan, Khokhar, vide sale agreement stamp paper S.No. 9578 dated: 30.11.2012, for a Plot No.
59-B, area 1080 Sq.Ft. situated at Deh Khiyarion, A- One Town, Nawabshah, District Shaheed
Benazir Abad, for a total sale consideration of Rs. 60,5000/-.

2). That at the time of sale agreement my client received Rs.3, 00,000/- (Three Lac Only) in
shape of cash as an advance money being the part payment of sale consideration from you and
your also given one cheque viz cheque No. C 12307351 dated 10 th February 2013 amounting to
Rs. 2, 00,000/- (Two Lac Only), and on dated 21-02-2013, my client presented the cheque for
encashment but bank authority returned the same along with memo, due to insufficient funds.

3). That my client well in time approached to you and asked to you to give him the balance
sale consideration viz. Rs.30, 5,000/- and cause the registered sale deed effected in your favour.
That however my client has obtained all required documents in this regarad and ready to execute
the sale deed in your favour, according to the sale agreement, and in this regard he has already
informed you verbally and through your friends/ business partner but you did not give any
response,
4). Therefore, that you have made defaulter yourself and you are not ready to contact with my
client in any manner.
5). That therefore in this regard he has already informed you through last legal notice but you
did not give any response after receiving the legal notice, so that this is final legal notice as well as
reminder to inform you to comply with the agreement of sale within ten days, otherwise as per sale
agreement your paid amount as advance money Rs. 3, 00,000/- shall be forfeited.
Please note.
Yours truly
Dated:

(JAHANGEER ALI KHAN)


ADVOCATE
To
M/S. Good Luck.
Mr. Muhammad Arif S/o Rao Muhammad Anwar,
R/o Near Sher Zaman House,
Essarpura Liaquatabad, Nawabshah,

FOR:
Mr. Muhammad Ibrahim Pahi (Advocate)

,
SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my learned Advocate to address you as under:-

1). That I was running office learned advocate named above you are the tenant in referred
shop No.___ of school shoping center.

2). That with out the prior written consent of the Board, you have illegally demolished the
structure of the shop and according to the information received are trying to shift the
shutter /Door of the shop so as to illegally include the four feet strip of the front road and
also to widen the Thalla.

3). You are therefore required to please stop the constructions immediately and submitt
proposed changes/ alteration for the consideration of the Board of Governor and not carry
out any further construction with out written consent or orders of the Board of Governors.
4). Failing which you will be rendering yor self liable to action viz cancellation of the lease
/allotment /eviction.
Please take notice and ensure due compliance.

Dated:- 22-11-2012 (ASIF HAMAYUN MUGHAL)


ADVOCATE
To
Mr. Muhammad Usuf Bhatti, Advocate, ,
Shop No: ______.
Apwa Shoping Center,
Katchery Road Nawab Shah.

FOR:
Board Of Governors APWA K.G & High School Nawab Shah.
,
,
SUBJECT: - LEGAL NOTICE.

Dear Sir,
I have instructions from my client, the secretry Board of Governors APWA.
K. G & Hgih School Nawab Shah to address you as under:-

1). That you are the tenant in referred shop No.___ of school shoping center.

2). That with out the prior written consent of the Board, you have illegally demolished the
structure of the shop and according to the information received are trying to shift the
shutter /Door of the shop so as to illegally include the four feet strip of the front road and
also to widen the Thalla.

3). You are therefore required to please stop the constructions immediately and submitt
proposed changes/ alteration for the consideration of the Board of Governor and not carry
out any further construction with out written consent or orders of the Board of Governors.
4). Failing which you will be rendering yor self liable to action viz cancellation of the lease
/allotment /eviction.
Please take notice and ensure due compliance.

Dated:- 22-11-2012 (ASIF HAMAYUN MUGHAL)


ADVOCATE

To,

Mr. Tufail Ahmed Vistro,


Govt. Boys High School,
Faqeer Ghulam Hussain,
Education Department,
Jam Sahib.

FOR :
Badar Hayat,
S/o Manzoor Ahmed, Bhatti,
Mohallah Camp No.2 Near
Ghosia Masjid,
Nawasbshah.

SUBJECT:- LEGAL NOTICE.

Dear Sir,
I put in to your hands legal notice as per instructions of my above named client, as
under:-

1). That there was an oral agreement between you and my above named client and you
received an amount Rs. 35000/= cash for supplying the wheat to my client and in security of you
issued three cheques to my client and also promised that you will supply the wheat to my client on
31-03-2012.

2). That on the same day viz- 31-03-2012, you did not supply the wheat to my client and did
not response to my client as my client many times contact with you, but you kept my client on
hopes and did not supply the same.

3). That my client named above on dated 01-04-2012, present the cheque bearing no.
070282 from your current account no. 17743-3 amounting Rs.5000/= from national bank of
Pakistan main branch nawabshah, for encashment but on the presentation of cheque the bank
authority returned the same to my client saying that there is insufficient funds in your accont, after
that my client named above contact with you but you did not response to my client and on dated
04-04-2012, my client presented the cheque for encashment again but bank authority returned
the same along with memo, of insufficient funds.

4). Therefore, that you have made defaulter himself and you did not supply the wheat to my
client and you issued false cheques intentionally, to defraud with my client.

That you are therefore, advised to supply the wheat to my client or return the received
amount within three days, otherwise the remedy available to my client such as getting FIR
registered may be availed on your own risk and costs.

Please note.
(BAHADUR ALI MAHESSAR)
ADVOCATE

To
Mr. Majid Hussain,
S/oVillayat Khan, Rajput,
Mohallah Manuabad,
Nawabshah.

FOR :
Muhammad Ali,
S/o Muhammad Moosa, Bhatti,
Mohallah Manuabad,
Nawasbshah.

SUBJECT:- REPLY OF LEGAL NOTICE.


Reference: - Your Legal , dated: 03.04.2012.

Dear Sir(s),
In response to your reply of legal notice referred above, it is further replied on
behalf of my client named above, as under:

1). That you have admitted the facts of para No. 1 to 3 and the same are not denied by you.

2). That in reply of para No. of the legal notice you have denied strictly the para No. 4, as you
replied that you have tried to contact with my client on his cell No. on 30-03-2012, but the same
cell No. was swited off, it is totally wrong submission as well as you replied that on next day viz
31-03-2012 you have contacted with my client and told him that you have obtained the Fardi and
Form VII and asked him that you are ready to perform your part but my client refused to you and
asked you that now he is not ready to continue the agreement ( Shirakatnama) with you, it is
further submitted that you have not attached the photocopy of Fardi as well as Form VII with
reply of my legal notice.

3). Your replied about the para No. 4 of my legal notice on behalf of my above named client is
wrong instead of your reply, that my client about 10 to 12 days contacted you and made a request
before you that some time may be given to my client after 30 th March 2012 and you have
accepeted his request but on 29 th March 2012 you have approached my client and told him that
you will not give any further time to my client and he will pay the remaining amount on fixed
date and my client was agreeded and on the fixed date viz 30-03-2012 my client met to you in the
presence of witnesses their names are shown 1 st legal notice and show the amount balance amount
Rs. 5,00,000/- as well as he had also having cheque of same amount Rs. 5,00,000/- but you did not
avail any apportuinty either cash amount or cheque my client came back.

4). Therefore, that now my client is not willing to continue partnership with you due
to your attitude and he has demanded that his paid amount
Rs. 5,00,000/- ( Five Lac Only) should be returned to him as well as he is liable to get Rs.
5,00,000/- as double as per principle of the market.

That this last and final notice in your hand and you are advise to return the paid
amount to my client Rs. 5,00,000/- and also pay Rs. 5,0,00,000/- as fine with in 3 days, otherwise
my client shall have no option but to avail the remedy/ relief available with him in accordance
with law on you/ your clients own risk and costs.

Thanks.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE

Asif Hamayun Mughal Off: 0244-288000


Advocate High Court B.Sc LL.B. Cell: 0333-8273775
House No: C S.2143 Near Ghousia Masjid, Camp No. 2, Nawabshah.

Ref:-_______ Date___________
To,
Mr. Majid Hussain,
S/oVillayat Khan, Rajput,
Mohallah Manuabad,
Nawabshah.
FOR :
Muhammad Ali,
S/o Muhammad Moosa, Bhatti,
Mohallah Manuabad,
Nawasbshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir ,
I put in to your hands legal notice as per instructions of my above named client, as
under:-
1). That my name above client is residing on above mentioned address.

2). That you entered an agreement (Shirakatnama) with my client above named on 31-12-
2011 in respect of agricultural land 2-02 acres S. No. 24/2 (6-00), 47/1 to 4 ( 15-29) and
86/3,4 (6-23) total land 28-12 acres. The present agreement (Shirakatnama) has entered
between you and my client for 2-02 acres for the purpose of plots and you offered my
client for 35% of the said land 2-02 acres in above mentioned S.Nos and my client has
accepted your offer on amount of Rs. 10,000,00/-.

3). That my client has paid Rs. 2,50,000/- to you on same date viz 31-12-2011, cash and also
given to you a Cheque viz Cheque No. 0144642 of Meezan Bank amounting to Rs.
2,50,000/- dated 02-01-2012, in the presence of witnesses namely Jameel Ahmed Pirzada
and Tarique and the balance the amount Rs. 5,00,000/- was to be paid on 30-03-2012,
due to Bank holiday on 02-01-2012 that the Cheque amount Rs. 2,50,000/- was to handed
over to you at your office with witness Mani Bhatti on 01-01-2012, before the date.

4). That on 30-03-2012 my client approached to you for giving the balance amount Rs.
5,00,000/- and he has offered to you as he he has Rs. 5,0,00,00/- in cash shape as well as
he has also a cheque of same amount for you in presence of witnesses of my client
namely Imran Bhatti, Altaf Bhatti and Muhammad Khalil but you refused bluntly to accept
the offer of my client and went away.

You are therefore, advised to you through this legal notice that you did not perform
your part as per agreement (Shirakatnama) so that now my client is not ready to continue
this agreement (Shirakatnama) as you did not receive the balance amount on mentioned
dated viz 30-03-2012 and he has discourged to you so you are advised to return the paid
amount of Rs. 5,00,000/- as well as also pay the Rs. 82,000/- to my client on account of
Rs. 50,000/- for brokery, Rs. 10,000/- for map of said land 2-02 acres and Rs. 22,000/- for
stationary of office, total amount comes to Rs. 5,82,000/-, with in 7 days after receiving this
legal notice, otherwise he shall have no alternate but to avail legal remedies / reliefs
avaialbel to him against you on your own risk and costs.

Please note.
(ASIF HAMAYUN MUGHAL)
ADVOCATE
Jahangeer Ali Khan
B.A, LL.B
Advocate High Court Cell: 0333-7022073
0315-3285588

Office Address:-Kutchery Road, Nawabshah.

Ref:-_______ Date___________

To
1). Waheed Iqbal son of Muhammad Hussain Azad,
R/o House No. II-A, 671, Mohni Bazar, Nawabshah.

2). Saeed Iqbal son of Muhammad Hussain Azad,


R/o House No. II-A, 671, Mohni Bazar, Nawabshah.

3). Suhail Iqbal son Muhammad Hussain Azad,


R/o House No. II-A, 671, Mohni Bazar, Nawabshah.

4). Saleem Iqbal son Muhammad Hussain Azad,


R/o House No. II-A, 671, Mohni Bazar, Nawabshah.

FOR
Jamshed Akhtar son of Rahim Bux,
R/o. House No. B-268, Mohni Bazar, Nawabshah.

SUBJECT:- LEGAL NOTICE/ REMINDER

Dear Sir,
Under the instructions of my above named client I am sending you reminder of
legal notice which has been sent you already on 28-2-2012.
1). That you entered into sale agreement with my client Jamshed Akhtar son Rahim Bux, vide
sale agreement stamp paper S.No. 8541 dated: 27.10.2011, for a House No. II-A 671/ B 279, area
1522 Sq.Ft. situated at Mohni Bazar Nawabshah, District Shaheed Benazir Abad, for a total sale
consideration of Rs. 80,000,00/-.
P/2

P/2

2). That at the time of sale agreement my client paid Rs.5, 00,000/- in shape of cash as an
advance money being the part payment of sale consideration to you and also given two cheques
viz cheque No. C14575849 dated 28th October 2011 amounting to Rs. 5, 00,000/- and cheque No.
C14575850 dated 3rd Novemeber 2011 amounting to Rs. 10, 00, 000/- so that Rs. 20, 00,000/- have
been paid to you and rest of the amount viz. Rs. 60, 00,000/- was to be paid on 26.02.2012 at the
time of registry of said house as per conditions of the sale agreement and in consequence whereof
you were bound to execute registered sale deed in favour of my client for the house aforesaid.

3). That my client well in time approached to you and requested to receive the balance sale
consideration viz. Rs.60, 00,000/- and cause the registered sale deed effected in his favour, but
due to enhancement in the rate of said house in the locality you are not ready to execute the
register sale deed in fvaour of my client.

4). That however my client is still ready to pay the balance sale consideration according to the
sale agreement and in this regard he has already informed you through last legal notice but you
did not give any response after receiving the legal notice, so that this is final legal notice as well as
reminder to inform you to comply with the agreement of sale within one month, otherwise my
client shall be at liberty to resort to the jurisdiction of the court of law on your own risk and cost.
Please note.
Yours truly

(JAHANGEER ALI KHAN)


ADVOCATE

To
Mrs. Rubina W/O Muhammad Yaqoob, Bhanbhro,
C/o. Government Girls High School, Gharib abad,
Near Syed Shoukat Shah House, Sakrand, Nawabshah.
FOR :
Mr. Ahsan Ali S/o Ameer Ali son of Lal Bux Khaskehli,
r/o: Near Azim Petrol Pump, Sakrand Road,
Nawabshah,

SUBJECT: - LEGAL NOTICE.


Dear,
On the instructions of my above named client, I place this legal notice in your hands as
under:
1). That the mother of my client has keep the committee (Beesi) on monthly basis with out any
interest of loss.

2). That the mother in the month of October 2011 you fraudulently and dishonestly issued
Cheque bearing NO.12467232, dated 05.07.2011, amounting to Rs.40,000/- from your PLS account
No 18203-4, drawn on National Bank of Pakistan, to my client for complying with certain obligations,
but you failed to do so.
2). That the Cheque aforesaid was presented into bank concerned, but the same was returned back
along with dishonour memo dated: 25.07.2011, and there after my client approhced to you but you
did not pay the amount to my clinet and replied that you do not intent to do so.

3). That you are therefore, advised to pay the amount mentioned in the Cheque to my client within seven
days, otherwise all the remedies available to my client such as getting FIR registered, Summary Suit
as well as complaints to your higher authorities may be availed on your own risk and costs.

Please note.
(AMEER ALI MAHESSAR)
ADVOCATE

High Court of Sindh, Jahangeer


Ali Khan
B.A, LL.B
Advocate High Court Cell: 0333-7022073
0315-3285588

Office Address:-Kutchery Road, Nawabshah.

Ref:-_______ Date___________

To

1). Waheed Iqbal son of Muhammad Hussain Azad,


R/o House No. II-A, 671, Mohni Bazar, Nawabshah.

2). Saeed Iqbal son of Muhammad Hussain Azad,


R/o House No. II-A, 671, Mohni Bazar, Nawabshah.

3). Suhail Iqbal son Muhammad Hussain Azad,


R/o House No. II-A, 671, Mohni Bazar, Nawabshah.

4). Saleem Iqbal son Muhammad Hussain Azad,


R/o House No. II-A, 671, Mohni Bazar, Nawabshah.

FOR
Jamshed Akhtar son of Rahim Bux,
R/o. House No. B-268, Mohni Bazar, Nawabshah.
SUBJECT:- LEGAL NOTICE.

Dear Sir,
Under the instructions of my above named client I set this legal notice in your
hands as under:-

1). That you entered into sale agreement with my client Jamshed Akhtar son Rahim Bux, vide
sale agreement stamp paper S.No. 8541 dated: 27.10.2011, for a House No. II-A 671/ B 279, area
1522 Sq.Ft. situated at Mohni Bazar Nawabshah, District Shaheed Benazir Abad, for a total sale
consideration of Rs. 80,000,00/-.
P/2
P/2

2). That at the time of sale agreement my client paid Rs.5, 00,000/- in shape of cash as an
advance money being the part payment of sale consideration to you and also given two cheques
viz cheque No. C14575849 dated 28th October 2011 amounting to Rs. 5, 00,000/- and cheque No.
C14575850 dated 3rd Novemeber 2011 amounting to Rs. 10, 00, 000/- so that Rs. 20, 00,000/- have
been paid to you and rest of the amount viz. Rs. 60, 00,000/- was to be paid on 26.02.2012 at the
time of registry of said house as per conditions of the sale agreement and in consequence whereof
you were bound to execute registered sale deed in favour of my client for the house aforesaid.

3). That my client well in time approached to you and requested to receive the balance sale
consideration viz. Rs.60, 00,000/- and cause the registered sale deed effected in his favour, but
due to enhancement in the rate of said house in the locality you are not ready to execute the
register sale deed in fvaour of my client and has been negotiating with other persons with regard
to the house aforesaid for sale.

4). That however my client is also contacted with the elders of your family members and
respectable persons of the locality but you refused and igonered bluntly, now through this legal
notice to inform you to comply with the agreement of sale within one month, for which my client
was/ is ready and willing to get it effected by paying the balance sale consideration well in time,
otherwise my client shall be at liberty to resort to the jurisdiction of the court of law on your own
risk and cost.
Please note.
Yours truly
(JAHANGEER ALI KHAN)
ADVOCATE
Asif Hamayun Mughal Off: 0244-288000
Advocate High Court B.Sc LL.B. Cell: 0333-8273775
House No: C S.2143 Near Ghousia Masjid, Camp No. 2, Nawabshah.

Ref:-_______ Date___________
To,
Mr. Haidaitullah,
S/o Muhammad Budhal, Suriho,
Housing Society, Near Jalbani House,
Nawabshah.

FOR :
Nisar Ahmed Abbasi,
S/o Abdul Hakeem, Abbasi,
House No. 255- B, Mohni Bazar,
Nawasbshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir ,
I put in to your hands legal notice as per instructions of my above named client, as
under:-
1). That my name above client is residing on above mentioned address.

2). That the said house was purchased by Mr. Abdul Hakeem Abbasi the father of Mr. Nisar
Ahmed Abbasi in the year 1981, as the house No. 256-B Mohni Bazar, Nawabshah, is
registered in your name and your other brothers and sister but the total control of that
house is in your hands.

3). That a wall is lying amongst these two houses viz house No. 255- B and house 256-B
which measurement is 18” Inches the half wall measuring 9” inch is in possession of Nisar
Ahmed Abbasi and remaining wall measuring 9” inch is in your possession and it is also
clearly mentioned in City Survey record in the office City Surveor Nawabshah.

4). That Mr. Nisar Ahmed Abbasi wants to construct a new house on same plot and he also
want to use the above 9” inch wall for this purpose which is in his possession the above
mentioned wall which length is about 60 ft which total comes to 540 sq ft for that purpose
the same wall total 18” inch must be destroyed than my client constract a new house.
5). That Mr. Nisar Ahmed Abbasi is law abiding citizen and many times approached to you
with two respectable nebghourer as well as your relative Mr. Saeed Ahmed Memon and
informed you about his problem but you did not any response to him. Mr. Nisar Ahmed
Abbasi has constracted four pilors in your hosue on his own cost for the safety of your
house but you are not ready for destroying the same wall and the constraction work is
stopped from many days due to your irresponsibility and Nisar Ahmed Abbasi also ready to
reconstract the same wall which total measurement is 18” and the same wall will be
constracted in two portion.

6). That my client wants to your help for constraction of his house but you did not co-operate
with him till today and he has no hope from you that you will co-operate with him near
future.

7). That my client through this legal notice inform you now he is going to destroying the wall
which measurement is 9” inch and same is in his possession and during the constraction if
any incident is happen you will be responsible for that becaue you are not ready to co-
operate with my client.
You are therefore, advised to perform your part as a good citizen of civil soeity and
contact with my with in 7 days after receiving this legal notice, otherwise he shall have no
alternate but to avail legal remedies / reliefs avaialbel to him against you on your own risk
and costs.

Please note.
(ASIF HAMAYUN MUGHAL)
ADVOCATE

Asif Hamayun Mughal Off: 0244-288000


B.Sc LL.B. Cell: 0333-8273775

House No: C S.2143 Near Ghousia Masjid


Camp No. 2, Nawabshah.

Ref:-_______ Date___________

To
Mr. Asad Ali Memon,
S/o Ghulam Qadir, Memon,
House No. 23, Mehran Jamali Colony,
Nawabshah.

FOR :
Muhammad Ibrahim, Pahi, Advocate,
House No. 35- B, Deh 50 Dad,
Ghulam Muhammad Jamali Colony
Nawasbshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir ,
I put in to your hands legal notice as per instructions of my above named client, as
under:-
1). That you had entered sale agreement with my above named client on 27-01-2011, vide
stamp No. 951 in the presence of witnesses in regards of House No. 35-B Deh 50 Dad,
Survey No. 167/ 1 to 4, measuring 1000 Sq Ft situated in Ghulam Muhammad Jamali
Colony, Nawabshah.

2). That the sale consideration is total Rs. 24,00,000/- and at the time of sale agreement my
client had paid Rs. 3,00,000/- as earnest amount and the balance amount Rs. 21,00,000/-
was to be paid on 27-04-2011 and my client had paid the balance amount Rs. 21,00,000/-
as per the condition of the sale agreemen and possession of the said house handed over
to my client.

3). That as per terms and conditions of sale agreement my above named client had performed
his part and you are avoiding to perform your part that my client approached time to time to
you for Registry.

4). That as per para No. 5 you were bound to clear all the utilities bill i.e electricity, sui gas etc
at the time of registray and my client had also paid the necessary fees for Registry in the
Office of the Registrar.

P/..2

P/…2

5). That as per terms and conditions of sale agreement you were bound to registered the
above said house in the name of my client even that which time was at the time of
payment of remaining balance Rs. 21,00,000/- which you had received on 27-04-2011 by
my client and said that due to some domestic problems you will registered the said house
in the name of my client in few days. And you are keeping him on false hopes till day.

6). That my client has born all the expenses of installation of electricity meter and sui gas
meter and also received a electicity bill about amounting Rs. 9000/- which bill is before
taking the possession of said house by my client and it is your liabilities as per sale
agreement.

7). That my client as per your promise after one month talked with some other persons for the
sale of above house and they were ready to pay Rs. 28,00,000/ 29,00,000/- but due to
your fraud nature the deal could not be completed.

You are therefore, advised to perform your part as per sale agreement registere the
said hosue in the name of my name client as well as paid him expenditures of installation
of electricity meter, sui gas meter and water supply connection comes to Rs. 20,000/- and
pay the damages of Rs.5,00,000/- if it is not possible for you that you are bound to pay the
double amount Rs. 48,00,000/- within a week , otherwise he shall have no alternate but to
avail legal remedies / reliefs avaialbel to him against you on your own risk and costs.

Please note.
(ASIF HAMAYUN MUGHAL)
ADVOCATE
NO: MLC/L.N/- 58 of 2011.
Dated: 26.10.2011
To

Mr. Wahid Bux Brohi,


Contractor ,
R/O : Village Ali Nawaz Magsi,
Taluka Sakrand, District Shaheed Benazir Abad.

SUBJECT:- LEGAL NOTICE.

I place the present legal notice as under:-

1). That I am zamindar having 16-00


acres agricultural land , situated
in Deh 19 Jalalani, Taluka
Sakrand, District Shaheed
Benazir Abad, wherein there is
crop of Banana.
2). That due to scarecity of the
water , I arranged for the
installation tubewell in my own
land and for such the
construction was going on,
meanwhile the water from your
land started entering at the place
of work , where at there was
exacation for fitting the tubewell
pipes etc, besides other material.
3). That I approached you to make
arrangements so that water from
your land may not damage my
material as well as Banana crop,
but you did not pay any head ,
as a result of which my work for
the installation of tube well
remained suspended for about a
month and my crop has
sustained loss .
). That I sustained the technical as
well as labour expenses about
Rs.1,00,000/- and I made
arrangements for the installation
of the tube well another place
because of your negligent act.
). That I coomunicated you to pay
the damages sustained by me
because of your ignorancy and
negligent act but you did not pay
any heed since then to as yet.
You are therefore, advised to
pay the damages of Rs.5,00,000/-
within a week , otherwise I shall
have no alternate but to avail
legal remedies / reliefs avaialbel
to me against you on your own
risk and costs.
Please note.

(MUHAMMAD IBRAHIM PAHI)


ADVOCATE
NO: MLC/L.N/- 57 of 2011.
Dated: 18.10.2011
To

Mr.

R/O: Plot / House No.15, Jamshed Colony,


Jam Sahab Road, Nawabshah.

FOR AND ON BEHALF OF:-

Mr. Rao Aftab Alam son of Rao Muhammad Hanif


R/o Essarpura Nawabshah.

SUBJECT:- LEGAL NOTICE.

I placed the present legal notice on behalf of my client as under:-

1). That father of my client being owner established Jamshed Colony, wherein plot bearing
No. 15 is situated, which has been formed out of Revenue Survey No. 506, Deh
Khyayrioon, Taluka Nawabshah, District Shaheed Benazir Abad.

2). That father of my client sold out plots to various persons in the Colony through registered
sale deed.

3). That after the death of the father of my client, his whole remaining property was devolved
upon his legal heirs including my client.
4). That my client has been looking after the whole property left by his deceased father for
him as well as on behalf of other legal heirs and he tried his level best to find out any
document in respect of the plot in your possession but nothing has been found available
with the record left by his father.
5). That previously my client has asked you about your illegal possession on the plot, but you
did not reply satisfactorily.
6). That you are in illegal possession of the plot aforesaid, hence you are hereby warned to
vacate the plot and hand over its possession to my client along with mesne profits to my
client within 15 day of the notice, otherwise my client shall have no option but to avail
legal remedy/relief available with him against you on your own risk and costs.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
High Court of Sindh,
NO: MLC/L.N/- 56 of 2011.
Dated: 17.10.2011
To

Mr. Muhammad Hanif S/O Suhrab Khan Lund,


r/o: Village Hote Khan Lund, Deh 31 Dad,
Taluka Nawabshah.

SUBJECT:- INTIMATION NOTICE.


Dear,
I was gengaged as an advocate by you in case / crime No. 75 of 2006,
P.STaluka Nawabshah, for the offence punishable U/S 302, 34 PPC, pending before
the Court of Honourable Ist. Additional Sessions Judge, Shaheed Benazir Abad.

Since the matter has been adjourned because of your absence in the Court,
as it is fixed for the evidence on your part.

The learned trial Court has directed me to come into contact with you, but
since you are not in contact with me inspite of my efforects, hence you are hereby
intimated to come into contact with me as well as appear before the learned trial
Court on the next date of hearing viz. 19.10.2011, otherwise I shall not be held
responsible for loss, if any sustained to you in your case because of you and your
witnessess’ absence.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
High Court of Sindh,
NO: MLC/L.N/- 54 of 2011.
Dated: 17.10.2011
To

Mr. ,
R/O: Plot / House No.15, Jamshed Colony,
Jam Sahab Road, Nawabshah.

FOR AND ON BEHALF OF:-

Mr. Rao Aftab Alam son of Rao Muhammad Hanif


R/o Essarpura Nawabshah.

SUBJECT:- LEGAL NOTICE.

I placed the present legal notice on behalf of my client as under:-

1). That father of my client being owner established Jamshed Colony, wherein plot bearing
No. 15 is situated, which has been formed out of Revenue Survey No. 506, Deh
Khyayrioon, Taluka Nawabshah, District Shaheed Benazir Abad.

2). That father of my client sold out plots to various persons in the Colony through registered
sale deed.

3). That after the death of the father of my client, his whole remaining property was devolved
upon his legal heirs including my client.
4). That my client has been looking after the whole property left by his deceased father for
him as well as on behalf of other legal heirs and he tried his level best to find out any
document in respect of the plot in your possession but nothing has been found available
with the record left by his father.
5). That previously my client has asked you about your illegal possession on the plot, but you
did not reply satisfactorily.
6). That you are in illegal possession of the plot aforesaid, hence you are hereby warned to
vacate the plot and hand over its possession to my client along with mesne profits to my
client within 15 day of the notice, otherwise my client shall have no option but to avail
legal remedy/relief available with him against you on your own risk and costs.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
High Court of Sindh,
NO: MLC/L.N/- 54 of 2011.
Dated: 17.10.2011
To

Mr. ,
R/O: Plot / House No.15, Jamshed Colony,
Jam Sahab Road, Nawabshah.

FOR AND ON BEHALF OF:-

Mr. Rao Aftab Alam son of Rao Muhammad Hanif


R/o Essarpura Nawabshah.

SUBJECT:- LEGAL NOTICE.

I placed the present legal notice on behalf of my client as under:-

1). That father of my client being owner established Jamshed Colony, wherein plot bearing
No. 15 is situated, which has been formed out of Revenue Survey No. 506, Deh
Khyayrioon, Taluka Nawabshah, District Shaheed Benazir Abad.

2). That father of my client sold out plots to various persons in the Colony through registered
sale deed.

3). That after the death of the father of my client, his whole remaining property was devolved
upon his legal heirs including my client.
4). That my client has been looking after the whole property left by his deceased father for
him as well as on behalf of other legal heirs and he tried his level best to find out any
document in respect of the plot in your possession but nothing has been found available
with the record left by his father.
5). That previously my client has asked you about your illegal possession on the plot, but you
did not reply satisfactorily.
6). That you are in illegal possession of the plot aforesaid, hence you are hereby warned to
vacate the plot and hand over its possession to my client along with mesne profits to my
client within 15 day of the notice, otherwise my client shall have no option but to avail
legal remedy/relief available with him against you on your own risk and costs.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
High Court of Sindh,
NO: MLC/L.N/- 53 of 2011.
Dated: 12.10.2011
To
The President,
Moblink Telecom,
Moblink House, Kalsoom Plaza,
Blue Area, Islamabad.

FOR AND ON BEHALF OF:-

Mr. Umar Shahzad S/O Mirza Abdul Rasheed


r/o: Deh Ahmed Bughio, Taluka Kazi Ahmed,
District Shaheed Benazir Abad.

SUBJECT:- LEGAL NOTICE.

I placed the present legal notice on behalf of my client as under:-

1). That my client has got cell No.viz. 0307-2425330 and the same was registered in his
name with your company.

2). That my client possess the original Jacket of the Sim and enquired about the
registration of the same and your Franchise at Nawabshah many a time confirmed
that the Sim was in the name of my client.

3). That all of sudden about for 20 days Sim of cell number mentioned above has
been dead, reslultnatly my client approached your local Franchaise office at
Nawabshah and complaint of the matter of seizing of the Sim, but the staff of your
Frenchise office at Nawbashah, did not respond properly, therefore, my client
made approaches for over and again , then my client was informed that the Sim /
number has been issued to another person , therefore, my client has not concern
even to know that who was usuing his cell number.
4) That since the cell number aforesaid is in the name of my client but the person who
is deemed to belong to your Frenchise company is misusing the same by
misbahing with the persons of locality, resultuantly the complaints have reached to
my client because of the number given to so many persons in respect of the
business work etc.

You are therefore, hereby advised to direct your local franchise at


Nawabshah firstly to close the number and locate the perso who is misuing the
same at present and lastly issue the cell number / Sim to my clinet as soon as
possible , otherwise my client shall have no option but to avail legal remedy /
relief available to him in accordance with law, on your own risk and costs.
Please note.

(ASAD ALI KORAI)


ADVOCATE
High Court of Sindh,

NO: MLC/L.N/- 52 of 2011.


Dated: 10.10.2011
To

Mr. Muhammad Ramzan Bhatti,


R/O: Plot / House No.15, Jamshed Colony,
Jam Sahab Road, Nawabshah.

FOR AND ON BEHALF OF:-

Mr. Rao Aftab Alam son of Rao Muhammad Hanif


R/o Essarpura Nawabshah.

SUBJECT:- LEGAL NOTICE.

I placed the present legal notice on behalf of my client as under:-

1). That father of my client being owner established Jamshed Colony, wherein plot bearing
No. 15 is situated, which has been formed out of Revenue Survey No. 506, Deh
Khyayrioon, Taluka Nawabshah, District Shaheed Benazir Abad.
2). That father of my client sold out plots to various persons in the Colony through registered
sale deed.
3). That after the death of the father of my client, his whole remaining property was devolved
upon his legal heirs including my client.
4). That my client has been looking after the whole property left by his deceased father for
him as well as on behalf of other legal heirs and he tried his level best to find out any
document in respect of the plot in your possession but nothing has been found available
with the record left by his father.
5). That previously my client has asked you about your illegal possession on the plot, but you
did not reply satisfactorily.
6). That you are in illegal possession of the plot aforesaid, hence you are hereby warned to
vacate the plot and hand over its possession to my client along with mesne profits to my
client within 15 day of the notice, otherwise my client shall have no option but to avail
legal remedy/relief available with him against you on your own risk and costs.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
High Court of Sindh,
NO: MLC/L.N/- 51 of 2011.
Dated: 03.10.2011
To

Mr. Muhammad Ramzan Bhatti,


R/O: Plot / House No.15, Jamshed Colony,
Jam Sahab Road, Nawabshah.

FOR AND ON BEHALF OF:-

Mr. Rao Aftab Alam son of Rao Muhammad Hanif


R/o Essarpura Nawabshah.

SUBJECT:- LEGAL NOTICE.

I placed the present legal notice on behalf of my client as under:-

1). That father of my client being owner established Jamshed Colony, wherein plot bearing
No. 15 is situated, which has been formed out of Revenue Survey No. 506, Deh
Khyayrioon, Taluka Nawabshah, District Shaheed Benazir Abad.
2). That father of my client sold out plots to various persons in the Colony through registered
sale deed.
3). That after the death of the father of my client, his whole remaining property was devolved
upon his legal heirs including my client.
4). That my client has been looking after the whole property left by his deceased father for
him as well as on behalf of other legal heirs and he tried his level best to find out any
document in respect of the plot in your possession but nothing has been found available
with the record left by his father.
5). That previously my client has asked you about your illegal possession on the plot, but you
did not reply satisfactorily.
6). That you are in illegal possession of the plot aforesaid, hence you are hereby warned to
vacate the plot and hand over its possession to my client along with mesne profits to my
client within 15 day of the notice, otherwise my client shall have no option but to avail
legal remedy/relief available with him against you on your own risk and costs.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
High Court of Sindh,
NO: MLC/L.N/- 50 of 2011.
Dated: 03.10.2011
To

Jan Muhammad son of Not known, Jatoi,


R/o Plot / House No. 41, Jamshed Colony,
Jam Sahab Road, Nawabshah.

FOR AND ON BEHALF OF:-

Mr. Rao Aftab Alam son of Rao Muhammad Hanif


R/o Essarpura Nawabshah.

SUBJECT:- LEGAL NOTICE.

I placed the present legal notice on behalf of my client as under:-

1). That father of my client being owner established Jamshed Colony, wherein plot bearing
No. 41 is situated, which has been formed out of Revenue Survey No. 506, Deh
Khyayrioon, Taluka Nawabshah, District Shaheed Benazir Abad.
2). That father of my client sold out plots to various persons in the Colony through registered
sale deed.
3). That after the death of the father of my client, his whole remaining property was devolved
upon his legal heirs including my client.
4). That my client has been looking after the whole property left by his deceased father for
him as well as on behalf of other legal heirs and he tried his level best to find out any
document in respect of the plot in your possession but nothing has been found available
with the record left by his father.
5). That previously my client has asked you about your illegal possession on the plot, but you
did not reply satisfactorily.
6). That you are in illegal possession of the plot aforesaid, hence you are hereby warned to
vacate the plot and hand over its possession to my client along with mesne profits to my
client within 15 day of the notice, otherwise my client shall have no option but to avail
legal remedy/relief available with him against you on your own risk and costs.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
High Court of Sindh,
NO: MLC/L.N/- 49 of 2011.
Dated: 03.10.2011
To

Mr. Jan Muhammad son of Not known, Jatoi,


R/o Plot / House No. 41, Jamshed Colony,
Jam Sahab Road, Nawabshah.

FOR AND ON BEHALF OF:-

Rao Aftab Alam son of Rao Muhammad Hanif


R/o Essarpura Nawabshah.

SUBJECT:- LEGAL NOTICE.

I placed the present legal notice on behalf of my client as under:-

1). That father of my client being owner established Jamshed Colony, wherein plot bearing
No. 41 is situated, which has been formed out of Revenue Survey No. 506, Deh
Khyayrioon, Taluka Nawabshah, District Shaheed Benazir Abad.
2). That father of my client sold out plots to various persons in the Colony through registered
sale deed.
3). That after the death of the father of my client, his whole remaining property was devolved
upon his legal heirs including my client.
4). That my client has been looking after the whole property left by his deceased father for
him as well as on behalf of other legal heirs and he tried his level best to find out any
document in respect of the plot in your possession but nothing has been found available
with the record left by his father.
5). That previously my client has asked you about your illegal possession on the plot, but you
did not reply satisfactorily.
6). That you are in illegal possession of the plot aforesaid, hence you are hereby warned to
vacate the plot and hand over its possession to my client along with mesne profits to my
client within 15 day of the notice, otherwise my client shall have no option but to avail
legal remedy/relief available with him against you on your own risk and costs.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
High Court of Sindh,
NO: MLC/L.N/- 48 of 2011.
Dated: 03.10.2011
To

Mr. Allah Ditta son of Nazeer Ahmed, Arain,


R/o Plot / House No. 63, Jamshed Colony,
Jam Sahab Road, Nawabshah.

FOR AND ON BEHALF OF:-

Mr. Rao Aftab Alam son of Rao Muhammad Hanif


R/o Essarpura Nawabshah.

SUBJECT:- LEGAL NOTICE.

I placed the present legal notice on behalf of my client as under:-

1). That father of my client being owner established Jamshed Colony, wherein plot bearing
No. 63 is situated, which has been formed out of Revenue Survey No. 506, Deh
Khyayrioon, Taluka Nawabshah, District Shaheed Benazir Abad.
2). That father of my client sold out plots to various persons in the Colony through registered
sale deed.
3). That after the death of the father of my client, his whole remaining property was devolved
upon his legal heirs including my client.
4). That my client has been looking after the whole property left by his deceased father for
him as well as on behalf of other legal heirs and he tried his level best to find out any
document in respect of the plot in your possession but nothing has been found available
with the record left by his father.
5). That previously my client has asked you about your illegal possession on the plot, but you
did not reply satisfactorily.
6). That you are in illegal possession of the plot aforesaid, hence you are hereby warned to
vacate the plot and hand over its possession to my client along with mesne profits to my
client within 15 day of the notice, otherwise my client shall have no option but to avail
legal remedy/relief available with him against you on your own risk and costs.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
High Court of Sindh,
Managing Director,
2). The Residents Director,
3). The Operational Director,
4). The General Manager
Adminstration

Habib Sugar Mills Limitted,


Nawabshah.

For :
Mr. Ameer Khaskheli,
General Secretary,
“Goth Sudhar Sangat”,
Village Mir Jan Muhammad Khaskehli,
Deh 86 Nusrat, Taluka Nawabshah,
District Shaheed Benazir Abad.

SUBJECT:- LEGAL NOTICE :

On the instructions of my above named client , I palce the present legal


notice in your hands as under:-

1). That my client is General Secretary , “Goth Sudhar Sangat” Village


Mir Jan Muhammad Khaskheli, Deh 86 Nusrat, Taluka Nawabshah,
District Shaheed Benazir Abad, who issued the notice bearing NO.
GSS/GMJM/09, dated: 08.08.2011, which is itself explanatory.

2). That due to the water ponds constructed by you near the houses of
villae Mir Jan Muhammad Khaskehli, water levell of the same are more
than 10 feet in hight from the earth level in the locality as well as
village of my client, wherein there is filthy water and due to which so
many persons of the village have been suffering from diseases such
as Malaria, tuber culosis, Heptitis , Hypatitis etc.

3). That my client approached you personally as well as through the


notice aforesaid for the removal of the ponds near from the village of
my client but to no avail.

You are therefore, required to remove the ponds near from the
village of my client; within 15 days, otherwise my client shall have no option but
resort to legal remedy / relief available with him in accordance with law, before the
competent courts of law including Honourable High Court.

Please note.
Dated: 06.08.2011
To

Mr. Rao Ghulam Sarwar,


Cashier,
Habib Bank Limited,
Sakrand .

FOR AND ON BEHALF OF:-

Mr. Khuda Bux son of Pir Bux Solangi,


r/o: village Choudry M . Jameel
Taluka Nawabshah.

SUBJECT:- LEGAL NOTICE.

1). That my client is serving as a Peon, in PMC, Nawabshah, while you were serving as
Cashier in Habib Bank Limited PMC, Branch Nawabshah, about three years back.

2). That my client obtained loan from Habib Bank Limited PMC, Branch Nawabshah which
was proportionally deductible from his salaries .

3). That in response to the loan you obtained two blank Cheque books from my client on the
affectation that it was the requirement of bank for withdrawal of the loan of the bank from
the salary of the lonee, hence my client only applied for the same and you yourself
obtained the cheques books of my client from the bank.

4). That since three years you have been wihtdwing whole the salary of my client and giving
him the amount to the extend of Rs.1000-00 / Rs.1500-00- every month on the affectation
that the markup has been increased that salary of my client is to be deducted as such.

5). That you have been transferred PMC, Branch Nawabshah, to Sakrand, therefore, my
client approached Habib Bank Limited PMC, Branch Nawabshah and enquired about the
adjustment of loan, where at my client came to know that only Rs.1100-00 are being
adjusted in the loan taken by my client and the Cheque books are not with the Bank,
therefore, the same are kept by you by violating SECTION 18 OF FINANCIAL
INSTITUTION (RECOVERY O OF LOAN) ORDINANCE, 2001.

6). That my client approached you so that the blank Cheque books obtained by you may be
returned but you did not do so.
P/2…

P/2…
7). That the salary of my client is more than Rs.11,000/- which are being withdrawn by you
since three years and have made your self liable to return the same.

8). That my client also sends the copy of this legal notice to your Higher Authorities for taking
action according to the Bank Rules and justice.

You are therefore, advised to return the amount withdrawn by you from the
account of my client and settle the score with him by handing over the blanks cheques within 07
days , otherwise my client shall be at liberty to file Civil as well as criminal action against you, in
accordance with law.

(RASOOL BUX LARAU)


ADVOCATE HIGH COURT

Copy to:

1). The governor, Estate Bank of Pakistan, Karachi.


2). The President, Habib Bank Limited, Islamabad.
3). The Zonal Manager, Habib Bank Limited

For kind information and necessary action.

(RASOOL BUX LARAU)


ADVOCATE HIGH COURT
NO: MLC/L.N/- 47 of 2011.
Dated: 06.08.2011
To

1). Mr. Rana Muhammad Siddique Khan,


Advocate High Court
House No. 76, Jamshed Colony, Line Par,
Nawabshah,

2). Mr. Ghulam Hyder son of Punhal Khan Chandio


R/O; village Punhal Khan Chandio, Taluka Sakrand,
District Shaheed Benazir Abad.
3). Mr. Azam Ali son of Roshan Ali Qazi
R/O; Mohallah Gharibabad Nawbashah.
4). Mr. Shakeel Ahmed son of Muhammad Qasim Qazi.
r/o: House No. 137, Ghulam Rasool Shah Colony,
Nawabshah.
Directors M/S Good Luck Enterprises,
Nawabshah.

FOR AND ON BEHALF OF:-

Mr. Taswar-ul- Hassan son of Abdul Hameed, r/o: Muhajir colony, near
Bismillah Masjid, Nawabshah.

SUBJECT:- REPLY OF LEGAL NOTICE.


Reference: - Your Legal Notice No. 202 , dated: 22.07.2011.

Dear Sir(s),
In response to your notice referred above, it is replied on behalf of my client named
above, as under:
P/2…

P/2…
1). That it is admitted fact that my client purchased plot bearing No.118, area 1608 .8 Sq. Ft
formed out of R.S. No. 142/3, 4 , 143/3,4 , 144/3,4, and 5, Deh 86 Nusrat, situated in the Project
named as “ALI CITY”, Nawabshah, by an agreement of sale in the sum of Rs.1,95,056/- along
with electicity charge.

2). That my client paid Rs.15,000/- as advance while the notice issued by you mentioning that
my client paid Rs.1,40,000/-, however, my client there after paid the amount of Rs.50,000/- vide
receipt No.5124, dated: 02.02.2010, Rs.1000/- vide receipt No.3692, dated: 08.05.2008, Rs.5000/-
vide receipt No.3691, dated: 08.05.2008, Rs.10,000/- vide receipt No.3064 dated: 12.11.2007,
Rs.10000/- vide receipt No.3012, dated: 23.10.2007, Rs.10000/- vide receipt No.2780, dated:
12.08.2007, Rs.5000/- vide receipt No.2267, dated: 15.03.2006, Rs.3000/- vide receipt No. 2040,
dated: 17.01.2007, Rs.5000/- vide receipt No. 1667, dated: 20.09.2006, Rs.5000/- vide receipt
No.1554, dated: 17.08.2006, Rs.8000/- vide receipt No.1422, dated: 12.07.2006, Rs.1000/- vide
receipt No.1151, dated: 06.05.2006, Rs.1000/- vide receipt No.1150, dated: 06.05.2006, Rs.2000/-
vide receipt No.1082, dated: 15.04.2006, Rs.4000/- vide receipt No.1005, dated: 28.03.2006,
Rs.5000/- vide receipt No.640, dated: 15.12.2005, Rs.5000/- vide receipt No.337, dated: 03.10.2005,
Rs.5000/- vide receipt No.282, dated: 13.09.2005, Rs.5000/- vide receipt No.20, dated: 16.08.2005,
hence intotal my client has paid Rs.1,55,000/- and their remains the outstanding of Rs.40056/-,
which my client brought to you / your clients time and again and demanded for getting the
registered sale executed in his favour, but my clinet was returned back on one or other pretext
and amount was not received from my client by you/your clients, however, my client is even
today ready to pay the balance amount beore Sub-Registrar, Nawabshah and registered sale to be
effected in his favour.

3). That on your temptation my client gathered the material at the site and constructed the
house by expending the amount of more than six / seven lacs but when electricity was not
available there at he approached you/ your clients where upon you / your clinets issued no
objection certificate for connection of electricity but when my clinet approached the WAPDA
authorityies he was returned back on the ground that the work at the site by you / your client has
not been complted , hence the electricity could not be provided, therefore, my client has sustained
heavy loss, due to the conduct on the part of you /your clients.

4). That it is worth to mention here that sale agreement was taken place in respect of two plots
viz. plots No. 117 and 118 , however, Plot No.117 was cancelled on your part , which is notable on
your part.

6). That the rest of the contents mentioned in your legal notice are devoid of truth and your
clients have tried to misguide you , therefore, they may be properly advised to get the registered
sale deed effected in favour my client by obtaining the outstanding amount aforesaid.

Therefore, my client is willing and ready to pay the outstanding amount as


aforesaid and you / your clients are advised to effect the registered sale deed in favour of my
client, within a reasonable time, otherwise my client shall have no option but to avail the remedy/
relief available with him in accordance with law on you/ your clients own risk and costs.
Thanks.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 46 of 2011.
Dated: 01.08.2011
To
The Chairman
Daur Co-Operative Society,
Daur, Taluka Daur,
District Shaheed Benazir Abad.

FOR :
Mr. Asad Ali Korai,
Deputy District Attorney,
District Shaheed Benazir Abad.

SUBJECT: - LEGAL NOTICE.


Dear,
On the instructions of my above named client, I place this legal notice in your hands as
under:-
1). That my client is member and holder of plot in Daur Cooperative Society, at Daur.

2). That by the passage of time my client became Director of the society, in the year 2007 .

3). That since 2007, my client has not been informed about any quarterly, six monthly and annually
meeting , so that he may be aware about the matter / problems of the persons /members of the
society.
P/2…
P/2…
4). That you have also not conducted the elections as per the laws of the society, and have been
keeping the seats illegally and unathorizdly.

5). That despite approaches and request of my client, the record of accounts of the bank of the society is
screened from my client on one or other affectation.

6). That now my client has come to know that without informing my client and passing the resolution on
the part of the society a work of construction of Liabrary and Park is seen to have been started by
your henchmen nothing but to do the corrupt practices.

7). That the construction material which is seen to have been used in the work of library is third class and
such loss shall be sustained by all the society members including me.

8). That you have got constructed doube carpet road in front of your houses and arrangements for street
lights have been done, but rest of the members of the society have been deprived of such facilities.

You are therefore, required to conduct Elections for electing new / fresh body , stop the illegal
work which has been started without adopting the rule of society , so that all the members may be treat
equally, otherwise my clinet have no opetion but to avail the remeidies / relief available to him in accordance
with law, against you on your own risks and costs.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
High Court of Sindh,
NO: MLC/L.N/- 45 of 2011.
Dated: 01.08.2011
To
Mr. Shoukat Ali son of Liaquat Ali Bhatti,
Bailiff, Civil Judge & Judicial Magistrate-I,
Sakrand.
FOR :
Mr. Ameer Ali son of Lal Bux Khaskehli,
r/o: Village Mir Jan Muhammad Khaskheli,
Deh 86 Nusrat, Taluka Nawabshah,
District Shaheed Benazir Abad.

SUBJECT: - LEGAL NOTICE.


Dear,
On the instructions of my above named client, I place this legal notice in your hands as
under:-
1). That you fraudulently and dishonestly issued Cheque bearing NO.12467232, dated 05.07.2011,
amounting to Rs.40,000/- from your PLS account No 18203-4, drawn on National Bank of Pakistan,
to my client for complying with certain obligations, but you failed to do so.

2). That the Cheque aforesaid was presented into bank concerned, but the same was returned back
along with dishonour memo dated: 25.07.2011, and there after my client approhced to you but you
did not pay the amount to my clinet and replied that you do not intent to do so.

3). That you are therefore, advised to pay the amount mentioned in the Cheque to my client within seven
days, otherwise all the remedies available to my client such as getting FIR registered, Summary Suit
as well as complaints to your higher authorities may be availed on your own risk and costs.

Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
High Court of Sindh,
NO: MLC/L.N/- 44 of 2011.
Dated: 01.08.2011
To
1). Mr. Muhammad Arif son of Mubarik Ali Qureshi.
2). Mr. Abdul Majeed S/O Wali Muhammad Arain
3). Mr.Ahmed Raza S/O Muhammad Iqbal Arain

Office : Iqbal Model town , Sugar Mills Chouk


Sanghar Road, Nawabshah.

FOR :
Mr. Muhammad Iqbal S/O Fakir Muhammad Arain,
r/o: Village Choudry Fakir Muhammad , Deh 86 Nusrat,
Taluka Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear,
On the instructions of my above named client, I place this legal notice in your hands as
under:-
1). That you entered into partnership agreement, dated: 16.11.2010, in respect of land formed out of
R.S. No.115/1 and 2, total area 4-37 acres, situated in Deh 86 Nusrat, Taluka Nawabshah, District
Shaheed Benazir Abad.

2). That the land was handed over to you for the purpose of ploting. The value of per acre was fixed at
Rs.30,00,000/-.

3). That you were bound to get the land aforesaid Sikni and to get plan approved from the concerned
athories on your own expsenses.
P/2…

P/2…
4). That it was further agreed that you would do the work on partnership after handing over
Rs.30,00,000/- at the sale of per acre to my client and you would be entitled to keep only 10%
percent from the income and the expenses of office etc would be bonre by you.

5). That it has come into the knowledge of my client that Rs.16,95,800/- have been earned by selling the
plots,wherein your share becomes Rs.1,69,580/- being 10% percent of total amount. However, you
have paid Rs.9,70,000/- only to my client and there remain Rs.5,56,220/- outstanding against you as
yet.

6). That from the contents aforesaid you have failed to comply with the terms and conditions mentioned
in the agreement.

You are therefore, informed through the present legal notice that by complying with your
words mentioned in the agreement pay Rs.5,56,220/- to my clinet wihin a week, otherwise my client shall be
at liberty not only to recover the amount aforesaid from you but also to get the agrrement of partnship taken
place in between you and my client cancelled throught the Court of competent Jurisdcition on you own risk
and costs.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
High Court of Sindh,
NO: MLC/L.N/- 43 of 2011.
Dated: 24.06.2011
To
Mr. Ali Ahmed Jumaani S/O Shah Muhammad Jumaani,
Muslim adult, r/o Haroon Bungallows, Phase-II,
House No. L.29, Mohalla KDA, Scheme No. 33,
Sector 38/8, Taluka and District Malir, Karachi.

FOR :
Mr. Qalander Bux S/O Muhammad Hashim, Dayo,
Muslim adult, r/o Barkat Khan Street, Mohlla Kari Nawab Khan,
Shikarpur, Taluka and District Shikarpur.

SUBJECT: - LEGAL NOTICE.

Dear,
On the instructions of my above named client, I place this legal notice in your hands as
under:-
1). That you entered into sale agreement inrespect of agricultural land measuring 32-25 acres
on 06-01-2005 with my client out of S.No. 7/8 (1-37) acres, 9 (2-08) acres, 10/1 (3-37) acres,
2 (3-12) acres, 7/4 (2-04) acres, 3 (0-25) acres, 11/3 (2-06) acres, 4 (0-10) acres, area 16-19
acres and out of S. No. 4(1-20) acres, 5/1 (3-01) acres, 5/2 (1-09) acres, 6 (2-19) acres, 7/1
(3-32) aacres, 2 (3-19) acres, 3 (0-26) acres, area 16-06 acres and in total 32-25 acres,
situated in Deh Chak No. 1, Suhelo, Taluka Nawabshah, District Shaheed Benazir Abad,
whereby you sold the land aforesaid in sale consideration of Rs. 8,00,000/- to my clinet and
received Rs. 7,00,000/- in cash dully admitted in the agreement, while rest of the amount viz
Rs. 1,00,000/- was to be paid by my client to you at the time of registered sale deed after
obtaining all the relavant documents including Fardi and Intekhab.

P/…2
P/…2
2). That at the time of sale agreement the possession of the land in question was handed over
to my client by you, which is still with him without any interference form any corner.

3). That since you were bound by sale agreement to obtain the necessary documents
and clearance etc to get the sale deed executed in favour of my client within two yeart, but
despite of reapted approches on the part of my client for getting the registered sale deed
executed but you failed to comply with the contents of the sale agreement and avoided to do
so on one orother pretext and have yet not obtained the clearance / sale certificate for the
purpose aforesaid, hence this notice is issued to get registered sale deed executed in favour
of my client with in a week, other wise my client shall have no any other option except to
resort to legal remedy/ relief available to him in accordance with law on your own risk and
cost.
Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
High Court of Sind,
NO: MLC/L.N/- 42 of 2011.
Dated: 06.06.2011
To
The Finance Controller
BGP, Pakistan International
House No. 289, Street No.55,
F-10/4, Islamabad.

FOR :
Mr. Asad Ali S/O Ghulam Hussain Korai,
r/o: House No.C-24, Govt. Co-operative Employee
Housing Soicety, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear,
On the instructions of my above named client, I place this legal notice in your hands as
under:-
1). That my client owns agricultural land situated in Deh 9 and 10 Nusrat,Taluka Daur, District
Shaheed Beanzir Abad.

2). That your subordinates / company approached my client to dig in the lands of my client and
use the machinery for boring for search of oil etc.

3). That the permission to your company / your sub ordinates was given by my client subject to
the payment of damages occurred to the crop as well as to the land , on which your company
/ sub ordinates agreed and started doing work in the land of my client.

4). That you sub ordinate damaged standing crop of sugarcane valued at Rs.1,00,000/- and
made 04-00 acres of agricultural land of my client by constructing the ways to approach the
stop where boring was taken place.

5). That after one month your company / subordinate disappeared and did not compensate for
`the act aforesaid, though my client approached to Regional Office / Camp at Nawabshah,
and apprised about the payment of compensation, but to no avail.

Therefore, you are hereby advised to approach my client and pay the damages at
the rate of Rs.2,00,000/- , failing which my client shall have no other alternate but to go to law, on
your own risk and costs.
Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
High Court of Sind,
DISTRICT BAR ASSOCIATION,
SHAHEED BEANZIR ABAD.
NO: MLC/L.N/- 41 of 2011.
Dated: 14.04.2011
To
The Taluka Municipal Administrator,
TMA, Nawabshah.

FOR :
Zain-ul Abdin Noonari, Government Contractor,
r/o village Ghulam Hyder Bhutto, Taluka Sakrand
District Shaheed Benazirabad.

SUBJECT: - INTIMATION NOTICE.


Dear,
On the instructions of my above named client, I place this legal notice in your hands as
under:-
1). That my client has filed Constitutional Petition No.D-636/11 before the Hon’ble High Court of Sindh,
Circuit Court Hyderabad, which is fixed on 20 th April, 2011 in respect of the the tender notice, to
which my client applied for tenders after depositing call deposits, but the same were not issued to him
despite of his repeated demands.

2). That you are hereby informed that that the above situation may kindly be noted.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 40 of 2011.
Dated: 14.04.2011
To
The Manager United Bank Limited
Gul Center, Hyderabad.

FOR :
Muhammad Waseem son of Muhammad Saleem
Rajput, r/o: Shahbaz Plaza, Liaquat Market,
Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear,
On the instructions of my above named client, I place this legal notice in your hands as
under:-
1). That legal notice bearing No.MLC/L.N/-03 of 2011, dated: 14.02.2011, was sent to you but you did
not chose to reply the same, however, my client in respect of the vehicle viz.bearing registration No.
ANR-093, Cultus, VXR, Model 2007 has filed application bearing No. 32 of 2011, for Letter of
Adminstration, which is pending adjudication before learned 2 nd. Additioal District Judge, Shaheed
Benazir Abad in which legal and codal formalties to some extent have been complied with and rest
will be complied with till next date of hearing viz. 20.04.2011.

2). That you are again hereby informed that till the decision of the case mentioned above do not depose
of or change the complexion of the vehicle aforesaid, for which my client and other legal heirs of
Muhammad Salem, your lessee are entitled to get the same back.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 39 of 2011.
Dated: 14.04.2011
To

1). Qazi Muhammad Khalid son of Ghulam Sarwar,


2). Qazi Muhammad Abid son of Ghulam Sarwar,

Both r/o: near Quba Masjid, Ghulam Rasool Shah colony,


Nawabshah.
FOR :
Qazi Muhammad Aslam son of Ghulam Sarwar,
r/o: House NO .3652, near Muchan Pan Wala , Al Mashriq Chowk
Preteabad, Hyderabad.

SUBJECT: - LEGAL NOTICE.

Dear,
On the instructions of my above named client, I place this legal notice in your hands as
under:-

1). That my clinet is co-owner in the shops, whereupon residential house has been constructed bearing
Custodian No.II-A- 85, C.S. No. 998/1, area 283-6 Sq. Ft. situated in Wad “B” Market Road,
Nawabshah.

2). That in respect of the property aforesaid there was a litigation filed by Qazi Muhammad Ilyas brother
of my client and you Muhammad Abiad , werehin my clinet has been proved to be established co-
owner in the property.

3). That house constructed over the shops was in the possession of my client but about eight months
ago you have unauthorizedly broke open the locks and illegally dispossessed my client from the
house and has been receiving the rent of the shops two in number and has not been paying the due
share there from to my client for which he resvers his right to go to law.
P/2…
P/2…

4). That besides the property aforesaid my client is also owner of shops measuring 28.8 Sq. Yd
constructed on C.S No. 1016, Ward “B” Market Road Nawabshah, but you have also been receving
the rent of the same and has not been paying the due share to my client.

Therefore, you are hereby advised to settle the matter with my client by handing over the
house constructed over the shops and by paying the due share of the rent from all the shops
aforesaid within a fortnight, otherwise my client shall have no any other alternate but to approahc to
Court of Justice on your own risk and costs in accordance with law.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 38 of 2011.
Dated: 12.04.2011
To
Mr.Shaukat Ali s/o Muhammad Ismail Jatt
Muslim, adult, r/o: village Chak No.04 Deh Sohello
Deh Sohello, Taluka Daur District Shaheed Benazir Abad. .
FOR :
Ghulam Ali s/o Abdul Rehman Brohi
r/o Village Ghulam Hyder Brohi,Deh 10 Nasrat
Taluka Daur,District Shaheed Benazir Abad.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my above named client, I place this legal notice in your hands as
under:-

1). That you entered into agreement of sale in respect of agricultural land measuring 20-00 acres,
situated in Chak No 09,Deh Sohello, Taluka Daur, with my client in the sum of Rs. 73,00,000,from
which you received Rs. 10,00,000 on the day of agreement viz .31-01-2011 and second instalment of
Rs. 30,00,000 is to be paid on 15-04-2011 and consquent thereto you are bound to hand over the
possession of the land aforesaid to my client, while rest of the amount of Rs, 10,00,000 and
23,00,000 lacs are to be paid on
15-11-2011 and 15-04-2012 respectively .
P/2….

P/2…

2). That my client is willing and ready to pay you the amount of Rs, 30,00,000 lacs in the manner
whatever you choose and possession of the land be handed over to my client .

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 37 of 2011.
Dated: 11.04.2011

To
1. Muhammad Abid,
2. Muhammad Khalid,
Both sons of Haji Ghulam Sarwar,
r/o near Masjid Quba, Ghulam Rasool Shah Colony,
Nawabshah.

FOR :
Muhammad Aslam son of Haji Ghulam Sarwar,
r/o near Masjid Quba, Ghulam Rasool Shah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear,
On the instructions of my above named client, I place this legal notice in your hands as under:-
1). That my client is co- sharer moved application for pinpointing the fraud and forgery being committed in GBLSS
Soomar Khan Korari by its Incharge Head Master Maqsood Ahmed Korai.

2). That your kind excellancey was pleased to refer the application of my client for enqury and report with in three
days vide dated 17-03-2011, whereupon the report by Assistant District Officer Education Elementry ( Male)
Daur and Supervisor U.C Syed Ghulam Hyder Shah Taluka Daur was submitted where in it was found that the
names of 40 girl students were bougus having no entry in the General Registrer of school, while 3 girls student
were shown to have been admitted twice carrying double entry in the school General Register and one girl
student mentioned in

P/..2

P/..2
scholarship list was already issued school leaving certificate. In conclusion it was mentioned that Mr Maqsood
Ahmed Korai is responsible for illegal payments of 44 girl students mentioned in the scholarship list.
3). That after holding the enquiry no any action in accordance with law has so far been taken and the grievance of
my clinet for getting his daughter and sister admitted in the school has been redressed, therefore, you are
requested through legal notice that grievance of my client may be redressed, otherwise my client shall have no
other alternate but to approach the Honourable High Court of Sindh.

Please note. (AMEER ALI MAHESSAR)


ADVOCATE

NO: MLC/L.N/- 36 of 2011.


Dated: 09.04.2011

To
The Executive District Officer ( Education)
Shaheed Benazir Abad

FOR :
Mansoor Ahmed son of Ali Sher Korai, r/o Haji Soomar Khan Korai
Deh 10 Nusrat Taluka Daur, District Shaheed Benazir Abad.

SUBJECT: - LEGAL NOTICE.

Dear,
On the instructions of my above named client, I place this legal notice in your hands as under:-
1). That my client moved application for pinpointing the fraud and forgery being committed in GBLSS Soomar
Khan Korari by its Incharge Head Master Maqsood Ahmed Korai.

2). That your kind excellancey was pleased to refer the application of my client for enqury and report with in three
days vide dated 17-03-2011, whereupon the report by Assistant District Officer Education Elementry ( Male)
Daur and Supervisor U.C Syed Ghulam Hyder Shah Taluka Daur was submitted where in it was found that the
names of 40 girl students were bougus having no entry in the General Registrer of school, while 3 girls student
were shown to have been admitted twice carrying double entry in the school General Register and one girl
student mentioned in

P/..2

P/..2
scholarship list was already issued school leaving certificate. In conclusion it was mentioned that Mr Maqsood
Ahmed Korai is responsible for illegal payments of 44 girl students mentioned in the scholarship list.

3). That after holding the enquiry no any action in accordance with law has so far been taken and the grievance of
my clinet for getting his daughter and sister admitted in the school has been redressed, therefore, you are
requested through legal notice that grievance of my client may be redressed, otherwise my client shall have no
other alternate but to approach the Honourable High Court of Sindh.

Please note. (AMEER ALI MAHESSAR)


ADVOCATE

Copy of application of my client duly endorsed by you and report furnished there on are attached.
NO: MLC/L.N/- 15 of 2011.
Dated: 08.03.2011

To
Mr. Rasheed Ahmed Kazi,
A-I Estate Agnecy, Sakrand Road,
Nawabshah.

FOR :
Tufail Ahmed Memon, Special Attorney of Mehan Khan Rind

SUBJECT: - LEGAL NOTICE.

Dear,
On the instructions of my above named client, I place this legal notice in your hands as under:-
1). That agricultural land bearing Survey No. 629/1, measuring 1-7 acers and 648/ 1.2, measuring 7-32 acries ,
total admeasuring 8-39 acres, situated in Deh Khiyarion then Taluka Shahdadpur now Nawabshah was
granted by Barrage Department to the grand father ( Ghulam Hyder son of Khan Bahadur Rind) of Mr. Mehan
Khan Rind in the year 1936-37.

2). That Mr. Mehan Khan besides other legal heirs of said Ghulam Hyder is in possesson of the land aforesaid
since its grant to as yet.

3). That A Form bearing No. 4721 was also issued in the name of Ghulam Hyder Rind at the time of its grant and
such all document are being possessed by my clinets.

4). That by committing some forgery in the record of rights in respect of the land in dispute and ultimately you
have been succeeded to get the land in dispute enlisted in your name by means of faurd and you have tried to take
over the possession of the land by illegal and forcible means by trying to dispossess my clients from the land.
P/…2

P/…2
5). That the land aforesaid is the property of Mr. Mehan Khan Rind besides other legal heirs of Ghulam Hyder
Rind, hence they are entitled to maintain their possession in accordance with law and intiate criminal as well as civil
litigation against the persons committed fraud and forgery in the record of rights including you.

You are, therefore, served with this legal notice not to dispossess my clients from the land aforesaid and not to
try to do any illegal activety and get the land restored in the name of my clients in the rocord of rights and the settle
the matter in dispute with my clients with in a fortnight, other wise my client shall be at liberty to resort to legal
remedy / relief avaialbe with him in accordance with law against you on your own risk and cost.

Please note. (AMEER ALI MAHESSAR)


ADVOCATE
Asif Hamayun Mughal Off: 0244-288000
B.Sc LL.B. Cell: 0333-8273775

House No: C S.2143 Near Ghousia Masjid


Camp No. 2, Nawabshah.

Ref:-_______ Date___________

To
The Executive Engineer,
Provinicial Highways Division
Sanghar.
FOR :
Engg: Khurshid Ahmed,
Government Contractor.

SUBJECT: - LEGAL NOTICE.

Dear Sir ,
I put in to your hands legal notice as per instructions of my above named client, as under:-
1). That according to the Sindh Public Procurement Regulatory Authority (PPRA) Rules 2004 the Governement
Contractor were invited to do the work by obtaining blank tenders from your office as published in different
News Papers including Daily Kawish Hyderabad.

2). That as per the requirement of your good office my client got prepared call deposit for the works mentioned at
Serial No. 28 amounting to Rs. 2,40,000/- in your fovour and submitted the same along with application on 09-
02-2011.

3). That despite of repeated approaches of my client to your good office, he was not issued blank tenders so that
he might be able to fill the same to submit in your office, which was the right of my client but he ws deprived of
his legal and constitutional right intentionally and delibratley due to keep some political persons pleased by
you.

4). That it has also been stated that the works, the publication of which has been issued, have already been
assigned to the persons of your personal choice with out adopiting the legal procedure.
5). That since my client has complied with all the legal and codal formalities for obtaining the blank tenders but of
no avail, hence you are advised to issue blank tenders, so that it may be submitted in your good office after
filingup the rates by my client, other wise my client shall have no any other option but to approcah the Honourbale
High Court of Sindh on your own risk and cost.
Please note.
(ASIF HAMAYUN MUGHAL)
ADVOCATE
Copy to:-
1. Secretary Works and Services Department
Sindh Secretrait, Karachi.

2. Chief Engineer,
Provincial Highways Department,
Sindh, Shahbaz Building, Thandi Sarak,
Hyderabad.

(ASIF HAMAYUN MUGHAL)


ADVOCATE

NO: MLC/L.N/- 06 of 2011.


Dated: 08.03.2011
To
The Executive Engineer,
Provinicial Highways Division
Sanghar.
FOR :
Peer Niaz Ahmed
Government Contractor.

SUBJECT: - LEGAL NOTICE.

Dear Sir ,
On the instructions of my above named client, I place this legal notice in your hands as under:-
1). That as per Sindh Public Procurement Regulatory Authority (PPRA) Rules 2004 the Governement Contractor
were invited to do the work by obtaining blank tenders from your office as published in different News Papers
including Daily Kawish Hyderabad.

2). That as per the requirement of your good office my client got prepared call deposits for the works mentioned at
Serial No. 22 amounting to Rs. 2,80,000/- and for the work mentioned at Serial No. 28 amounting to Rs.
2,40,000/- respectively in your fovour and submitted the same along with application on 09-02-2011.

3). That despite of repeated approaches of my client to your good office, he was not issued blank tenders so that
he might be able to fill the same to submit in your office, which was the right of my client but he ws deprived
from his legal and constitutional right intentionally and delibratley due to keep some political persons pleased
by you.
4). That it has also been stated that the works, the publication of which has been issued, have already been
assigned to the persons of your personal choice with out adopiting the legal procedure.

P/…2
P/…2

5). That since my client has complied with all the legal and codal formalities for obtaining the blank tenders but of
no avail, hence you are advised to issue blank tenders, so that it may be submitted in your good office after
filingup the rates by my client, other wise my client shall have no any other option but to approcah the Honourbale
High Court of Sindh on your own risk and cost.

Photostat copy of application and publication are annexed for ready reference.
Please note.
(AMEER ALI MAHESSAR)
ADVOCATE

Copy for intimation and necessary action to:-


1. Secretary Works and Services Department
Sindh Secretrait, Karachi.

2. Chief Engineer,
Provincial Highways Department,
Sindh, Shahbaz Building, Thandi Sarak,
Hyderabad.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 02 of 2011.
Dated: 14.02.2011
To
1). The District Officer (Roads)
Near Kazi Ahmed turn,
Nawabshah.
2). The District Officer (Education)
Near Khoja Garden Nawabshah.
FOR :
Legal Heirs of Jameel Ahmed, namely
1. Ashfaque Ahmed. (son)
2. Imtiaz Ahmed (son)
3. Mst. Luba Jawad (Daughter)
4. Mst. Saeeda Bano (Daughter)
5. Mst. Fouzia Qayoom (Daughter)

SUBJECT: - LEGAL NOTICE.


Dear Sir (s),
On the instructions of my above named clients, I place this legal notice in your hands as under:-
1). That the predecessor of my clients was contractor in your department (s) and in this respect my clients placed
before me Work orders of constitution of Road from Lakhat Road village Ismail Jatoi mile 0/0 – 0/2 bearing No.
TC/G/55/1018, Nawabshah , dated 19.05.2008, coonstituion of Road from Rohri Canal to Waryam ji Khuhi Mile 0/0-1/0,
bearing No.TC/G-55/2675/1995, Nawabshah, dated: 22-6-1995, and rehabilitation of existing Secondary School District
Nawabshah (5-Units) ADP/2006-07, Programme at G.B.H.S , Kazi Ahmed, Taluka Kazi Ahmed,Dsitrict Nawabshah,
bearing D.O. / EW/TC/W&SD / 173, Nawabshah , dated: 29.01.2008 and construction of lacking facilities in existing
Primary School District Nawabshah(18 months) 2005-06, programe at GPS Ghatti,, Taluka D/Pur District Nawabshah,
dated 30-08-2010, respectively.

2). That the predecessor of my clients did the work at both the sites against which the payment is outstanding
against your department(s).

3). That to apply for the recovery of the same my clients requires Succession Certificate, therefore, you are
requested to please communicate the outstanding amount against the work done of the predecessor of my clients if
any.
Please note.
(AMEER ALI MAHESSAR)
ADVOCATE

UNITED BANK LIMITED


MASJIR ROAD, NAWBASHAH.
February, 10TH , 2011
Ref: UBL/M.R.N./012/2011

To

Mr. Ayaz Ali Rajper,


r/o: House No. B-55,
Housing Society,
Opposite Keerio House,
Nawbashah.

SUBJECT: - PRODUCTION OF ORIGINAL CNIC OF YOUR WIFE MRS. FARHA NAZ.

Dear Sir ,

You had got opened the account of your wife in the Bank on your identification and
promised to submit Original CNIC for verification from NADRA Department to activate the account
aforesaid. Despite the demand you did not produce the same within the stipulated time, therefore,
you are required to produce copy of CNIC of your wife within a week otherwise the account shall be
deem to have been closed.
Thanks.

Manager
UBL, Masjid Road,
Nawbashah.
NO: MLC/L.N/- 03 of 2011.
Dated: 14.02.2011
To
The Manager,
United Bank Limited,
Gul Center, Hyderbabad.
FOR :
Muhammad Waseem son of Muhammad Saleem
Rajput, r/o: Shahbaz Plaza , Liaquat Market,
Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir ,
On the instructions of my above named client, I place this legal notice in your hands as under:-
1). Father of my client was leased out a vehicle bearing Registration No. ANR-093, Cultus VXR, Model 2007, for
which father of my client and after his death my client was regularly depositing the monthly installment as
agreed.

2). That you took into possession the aforeisad vehicle on 11.12.2010, because of non payment of the monthly
installment but on the other hand, the monthly installments were being paid regularly and was cleared up to
05th January, 2011.

3). That predecessor of my client passed away on 22.10.2009 and my client was plying the said vehicle to earn
livelihood which you snatched on the false pretext nothing but to show the effifency of your staff to you and to
recover the possession charges nothing but to take the commission, in this respect.

4). That payment receipt upto 05.01.2011, in shape of Photostat copy is despated herewith.
5). That however, my client is ready to deposit all the future installments at once if the vehicle is handed over to
him and concession according to your rules and regulation may be given to him.

You are therefore, advised to hand over the possession of the said vehicle to my client to avoid from
any litigation .
Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
NO: MLC/L.N/- 02 of 2011.
Dated: 14.02.2011
To
1). The District Officer (Roads)
Near Kazi Ahmed turn,
Nawabshah.
2). The District Officer (Education)
Near Khoja Garden Nawabshah.
FOR :
Legal Heirs of Jameel Ahmed, namely
6. Ashfaque Ahmed. (son)
7. Imtiaz Ahmed (son)
8. Mst. Luba Jawad (Daughter)
9. Mst. Saeeda Bano (Daughter)
10. Mst. Fouzia Qayoom (Daughter)

SUBJECT: - LEGAL NOTICE.

Dear Sir (s),


On the instructions of my above named clients, I place this legal notice in your hands as under:-
1). That the predecessor of my clients was contractor in your department (s) and in this respect my clients placed
before me Work orders constitution of Road from Lakhat Road village Ismail Jatoi mile 0/0 – 0/2 bearing No.
TC/G/55/1018, Nawabshah , dated 19.05.2008, and rehabilitation of existing Secondary School District Nawabshah (5-
Units) ADP/2006-07, Programme at G.B.H.S , Kazi Ahmed, Taluka Kazi Ahmed,Dsitrict Nawabshah, bearing D.O. /
EW/TC/W&SD / 173, Nawabshah , dated: 29.01.2008, respectively.

2). That the predecessor of my clients did the work at both the sites against which the payment is outstanding
against your department(s).

3). That to apply for the recovery of the same my clients requires Succession Certificate, therefore, you are
requested to please communicate the outstanding amount against the work done of the predecessor of my clients if
any.
Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
NO: MLC/L.N/- 01 of 2011.
Dated: 07.02.2011

To

Miss. Ambreen Khehro,


Class Teacher, Class IVth –B,
Gulshan Public School, Nawbashah.
FOR
Mr. Asad Ali Korai,
Deputy District Attorney,
Shaheed Benazeer Abad
r/o: House No. C-24,
Housing Soceity, Nawbashah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instruction of my above named client I place this legal notice as under:-

1). That son of my client namly Adil Ali Korai, is studying in Class 4 th-B, Gulshan Public School,
Nawbashah, wherein you are his Class Teacher.

2). That on 03.02.2011, when my client returned to his house from his office, his son Adil Ali disclosed
that you forcibly removed the hairs of his head in class room in presence of his other class fellows,
due to your act son of my clinet was jeered at and was insulted , who is aged about 10 years.

3). That the act you have committed is an offence punishable Under Section 337-V of the Pakistan
Penal Code 1860 which is also against the rules and regulations of Education Department, as no
torture shall be taken place in any form on the student.

P/2…

P/2…

4). That besides the offence you have committed, you have made yourself liable to pay the damages to
my client, because of your act aforesaid.
You are therefore, required to ask for unconditional apology to my client and pay
the damages, otherwise my client shall be at liberty to institute civil as well as criminal proceeding
against you , on your own risk and costs, if satisficatory reply is not received withint seven day sof
this notice.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
Copy to:
The Head Mistress , Gulshan Public School, Nawbahsah, for information and action.
NO: MLC/L.N/- 92 of 2010.
Dated:23.12.2010

To
The Managing Director,
Sindh Small Industries Corporation,
Karachi.
FOR
Mr. Tanveer Ahmed son of Muhammad Saleh Qureshi,
r/o: H# 60/1, Otaq Quarters,
Masjid Road, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named client I place this legal notice as
under:-
1). That my client purchased plot N0. 5, on 14.02.1988, while participating in the
auction and made the payments and there is no any outstanding against him with
regard to above plot.

2). That since my client has cleared all the dues and has been approaching the offices
of Sindh Small Industries Corporation at Nawabshah and Sukkur but he has been
circling on one or other pretext.

3). That urged by the circumstances my client moved applications, so that plot might
be mutated in his name after execution of sale deed in his favour, whereby he
received letter NO.DEV-IND-524/2009, Govt. of Sindh, Industries and Commerce
Department, Karachi, dated: 16.06.2009 and has also come to know that office of
Sindh Small Industries Corporation Nawabshah vide letter No.SSIC/ SIE/ D.C/
N.Shah/ 2009/ 659, dated: 09.07.2009, has stated that the plot in question may be
allotted to my client as the payment is shown clear vide OR dated: 1423 to the
Director SSIC, Sukkur Region Sukkur.
P/2…

P/2…
4). That copy of application moved by my client and reply by Assistant Director
(DEV-II) for Secretary to Govt. of Sindh, dated: 16th June, 2009, and other relevant
documents are attached herewith for kind perusal and redressal of grievance of my
client on priority basis , keeping in view the delay occurred not on the part of my
client.

5). That hopefully the matter of my client may be solved as soon as possible to avoid
any further inconvenience to him, because he has sustain mental agony for
pursuing the matter for about 22 years not any fault on the part of my client, the
matter of my client may be solved within fortnight, otherwise my client shall be at
liberty to resort to legal remedies / reliefs available to him in accordance with law.

Thanks.

Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE

Copy to
1). Director, SSIC, Sukkur Region, Sukkur.
2). Director, SSIC, Karachi.
NO: MLC/L.N/- 91 of 2010.
Dated: 18.12.2010
To
1). Mr. Mukhtiar A. Bhurt ,
Office Law Department
ORIX Leasing Pakistan Limited.

2). Mohsin Siraj,


Head Law Department
ORIX Leasing Pakistan Limited.

Plot N0.16, Sector No.24, near Vista Round about,


Korangi Industrial Area, Karachi.

FOR AND ON BEHALF OF:-


Mr. Tanveer Ahmed, Proprietor, M/S Hassan Electronic, Masjid Road,
Nawabshah.

SUBJECT:- REPLY OF LEGAL NOTICE.


Reference: - Your Legal Notice No. Nil, dated: December 10, 2010.

Dear Sir(s),
In response to your notice referred above, it is replied on behalf of my client
named above, as under:

1). That my client filed F.C. Suit No. 36 of 2009, before Ist. Senior Civil Judge,
Nawabshah as well as filed Direct Complaint NO. 150 of 2009, for robbery, which was
pending proceeding before the respective Courts, mean while compromise was taken
place in between my client and you and resultantly a compromise deed dated: 07th, July,
2009 was effected wherein it was mutually agreed that my client would pay
Rs.2,50,000/-, in ten equal installments of Rs.25,000/- each in respect of leased vehicle
through post dated chouse and you shall hand over the leased vehicle to my client upon
receipt of post dated cheques and withdrawal of suit as well as direct complaint
mentioned above. But it was also agreed mutually that the documents of the vehicle viz.
Registration Book and file would also be handed over to him.
P/2…
2). That my client not only issued post dated cheques of the amount agreed but also
withdrew both the cases filed against you / company in view of the said compromise. It
is also notable that from the post dated cheques issued by my clients some have been
honoured while the rest were stopped due to your not complying with the compromise
deed aforesaid by not handing over the relevant documents, which was filed in the Court
in F.C. Suit NO. 36 of 2009, on the basis of which the said suit was disposed of.

3). That it is also worth to mention here that it was noted by you on cheques bearing
No.1509947, dated: 08.02.2010, amounting to Rs.50,000/- that original documents of the
vehicle JF-3376 will be handed over within one week , which has not been complied with
by you, which is clear cut violation of your contract / deed , which makes you liable to be
taken action for civil as well as criminal proceedings for committing cheating..

4). That my client sent you the letters dated: 20,02.2010, 16.03.2010 03.05.2010 and
04.06.2010, requesting that he was and is ready to get all the cheques honoured at once ,
therefore, documents of the vehicle may be handed over to him, the said letters were duly
received by you, but no response was given to my client. Photostat copies of Cheque, my
client’s letters and compromise deed are attached for ready reference.

5). That again on 25.11.2010, at 09:00 am, one Ayoob and others who are known to my
client have snatched the vehicle forcibly and unlawfully at Masjid Road Nawabshah,
without any notice, wherein an amount of Rs.2,25,000/- was kept in dash board as the
same was being taken by the driver of my client namely Rafakat Ali to pay the same to
the person concerned.

6). That you are hereby given the reply of the notice above, which may also be treated
as notice on the part of my client that return the vehicle as well as amount kept therein
and hand over registration book as well as file as per compromise deed mentioned above,
for which my client shall get the remaining cheques honoured, otherwise, he reserves his
right to resort legal remedies / relief available to him in accordance with law.
Thanks.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 90 of 2010.
Dated: 23.11.2010
To
Mr. Sain Bux son of Muhammad Ameen Khaskheli
r/o: Manu Khaskheli, Taluka Sakrand,
District Shaheed Benazir Abad. .
FOR :
1). Akhtar Hussain Magsi S/O Muhammad Ayoob Magsi,

2). Ghulam Hussain S/O Muhammad Ayoob Magsi

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you, for plots bearing No.59 & 60,
formed out of S.No. 236 Deh Lakhmir, situated in Al-Ghafar Town Phse-I, near main gate Airport
Road Nawabshah, for total consideration of Rs.1,98,000/- from which you paid Rs.___________/-
as an advance and rest amount was to be paid by monthly installments as well as six monthly
installments.
P/2…

P/2…

2). That you have paid Rs.51,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.14,700/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
NO: MLC/L.N/- 89 of 2010.
Dated: 23.11.2010
To
Mr. Muhammad Ashraf son of Muhamamd Ramzan
r/o: Village Ismail Arain, Deh Shahpur Jahania
Taluka Kazi Ahmed, Dsitrict Shaheed Benazir Abad.
FOR :
1). Akhtar Hussain Magsi S/O Muhammad Ayoob Magsi,

2). Ghulam Hussain S/O Muhammad Ayoob Magsi

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.
4). Muhammad Sajid son of Abdul Ghaffar Malak,
r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you and you have booked a plot
measuring formed out of S.No. 236 Deh Lakhmir, situated in Al-Ghafar Town Phse-I, near main gate
Airport Road Nawabshah, for the total value of the plot viz Rs.99,000/-, from which you paid
Rs.2,000/- as an advance and rest amount was to be paid by monthly installments as well as six
monthly installments.
P/2…
P/2…

2). That you have paid Rs.12,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.87,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 88 of 2010.
Dated: 23.11.2010
To
Mr. Imran Qureshi son of Wali Muhammad Qureshi,
r/o: House NO. 9, Mohallah Abdul Rasheed Colony,
Hyderabad
FOR :
1). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,
r/o: Ashraf Colony, Nawabshah.

2). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 12.03.2009,
for plot bearing No.121, measuring 1000 Sq. Ft. formed out of S.No. 235 Deh Lakhmir, situated in Al-
Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of Rs.130/- per sq. ft.
hence the total value of the plot became Rs.1,30,000/-, from which you paid Rs.10,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
P/2…
P/2…
2). That you have paid Rs.10,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.20,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 87 of 2010.
Dated: 23.11.2010
To
Mr. Muhammad Ihsan son of Abdul Ghani
r/o: House NO. 15 Islam Nangar
-------------------------------------.
Hyderabad.
FOR :
1). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,
r/o: Ashraf Colony, Nawabshah.

2). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 12.03.2009,
for plot bearing No.107, measuring 1000 Sq. Ft. formed out of S.No. 235 Deh Lakhmir, situated in Al-
Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of Rs.130/- per sq. ft.
hence the total value of the plot became Rs.1,30,000/-, from which you paid Rs.10,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.15,500/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.15,500/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 86 of 2010.
Dated: 23.11.2010
To
Miss. Najma Parveen D/O Nadir Ali Baig
r/o: House No. 190, Mohallah Khair Shah
Ghambat, District Khairpur.
FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 14.07.2008,
for plot bearing No.154, measuring 1000 Sq. Ft. formed out of S.No. 235 Deh Lakhmir, situated in Al-
Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of Rs.115/- per sq. ft.
hence the total value of the plot became Rs.1,15,000/-, from which you paid Rs.5,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.21,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.69,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 85 of 2010.
Dated: 23.11.2010
To
Mr. Shafquat Ali son of Sabir Ali Baigh
r/o: House No. 190, Mohallah Khair Shah
Ghambat, District Khairpur.
FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 24.06.2008,
for plot bearing No.153, measuring 1000 Sq. Ft. formed out of S.No. 235 Deh Lakhmir, situated in Al-
Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of Rs.115/- per sq. ft.
hence the total value of the plot became Rs.1,15,000/-, from which you paid Rs.5,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
P/2…
2). That you have paid Rs.23,500/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.68,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 84 of 2010.
Dated: 23.11.2010
To
Miss. Aaisha D/O Imam Din Khokhar
r/o: House No. 190, Mohallah Khair Shah
Ghambat, District Khairpur.
FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 24.06.2008,
for plot bearing No.153-A, measuring 1080 Sq. Ft. formed out of S.No. 235 Deh Lakhmir, situated in
Al-Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of Rs.115/- per sq. ft.
hence the total value of the plot became Rs.1,24,200/-, from which you paid Rs.5,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.33,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.69,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 83 of 2010.
Dated: 23.11.2010
To

Miss. Naseem Hassan W/O Ahmed Hassan


r/o: House No. 190, Mohallah Khair Shah
Ghambat, District Khairpur.
FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 24.06.2008,
for plot bearing No.156, measuring 1000 Sq. Ft. formed out of S.No. 235 Deh Lakhmir, situated in Al-
Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of Rs.115/- per sq. ft.
hence the total value of the plot became Rs.1,15,000/-, from which you paid Rs.5,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
P/2..
P/2…
2). That you have paid Rs.7,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.68,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 82 of 2010.
Dated: 23.11.2010
To

Miss.Nasreen Altaf Wife of Altaf Hussain,


r/o: House No. 190, Mohallah Khair Shah
Ghambat Town, District Khairpur.
FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 19.07.2008,
for plot bearing No.155, measuring 1000 Sq. Ft. formed out of S.No. 235 Deh Lakhmir, situated in
Al-Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of Rs.115/- per sq. ft.
hence the total value of the plot became Rs.1,15,000/-, from which you paid Rs.5,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.31,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.80,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/-81 of 2010.
Dated: 23.11.2010
To

Mr. Muhammad Aslam Alias Babu son of Turab Ali ,


r/o: House No. C-444/70, Mohallah Maryam Road,
Nawabshah.
FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 31.05.2008,
for plot bearing No.146, measuring 1100 Sq. Ft. formed out of S.No. 235 Deh Lakhmir, situated in Al-
Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of Rs.100/- per sq. ft.
hence the total value of the plot became Rs.1,10,000/-, from which you paid Rs.5,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
P/2…
2). That you have paid Rs.31,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.79,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 80 of 2010.
Dated: 23.11.2010
To
Mr. Taj Muhammad son of Muhammad Ayub Mallah ,
r/o: Mohallah Sadiq Abad Colony,
Nawabshah.
FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 04.09.2007,
for plots bearing No.26, 27, 28, 29, measuring 1005 Sq. Ft. formed out of S.No. 235 Deh Lakhmir,
situated in Al-Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of
Rs.___/- per sq. ft. hence the total value of the plot became Rs.1,60,000/-, from which you paid
Rs.16,000/- as an advance and rest amount was to be paid by monthly installments as well as six
monthly installments.
P/2…
P/2…

2). That you have paid Rs.66,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.94,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 79 of 2010.
Dated: 23.11.2010
To

Mr. Taj Muhammad son of Muhammad Ayub Mallah ,


r/o: Mohallah Sadiq Abad Colony,
Nawabshah.
FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 04.09.2007,
for plots bearing No.197, 198, 199, measuring 2677 Sq. Ft. formed out of S.No. 235 Deh Lakhmir,
situated in Al-Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of
Rs.120/- per sq. ft. hence the total value of the plot became Rs.3,21,240/-, from which you paid
Rs.12,000/- as an advance and rest amount was to be paid by monthly installments as well as six
monthly installments.
P/2…
P/2…
2). That you have paid Rs.1,02,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.2,19,240/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 78 of 2010.
Dated: 23.11.2010
To
Mr. Sher Muhammad Leghari son of Abdullah Khan Leghari
r/o: Village Jalal Dahri, P.O / Taluka Daulatpur.
FOR :
1). Akhtar Hussain Magsi S/O Muhammad Ayoob Magsi,

2). Ghulam Hussain S/O Muhammad Ayoob Magsi

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you vide booking date 24.06.2008,
for plot bearing No.89-A, measuring 1100 Sq. Ft. formed out of S.No. 236 Deh Lakhmir, situated in
Al-Ghafar Town Phse-I, near main gate Airport Road Nawabshah, on the rate of Rs.100/- per sq. ft.
hence the total value of the plot became Rs.1,10,000/-, from which you paid Rs.5,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.10,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.78,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 77 of 2010.
Dated: 23.11.2010
To
Mr. Asif Memon son of Muhammad Iqbal Memon,
r/o: near Goal Chakra Sadar Market
Nawabshah.
FOR :
1). Akhtar Hussain Magsi S/O Muhammad Ayoob Magsi,

2). Ghulam Hussain S/O Muhammad Ayoob Magsi

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you vide booking date 30.06.2007,
for plot bearing No.43, measuring 1100 Sq. Ft. formed out of S.No. 236 Deh Lakhmir, situated in Al-
Ghafar Town Phse-I, near main gate Airport Road Nawabshah, on the rate of Rs.90/- per sq. ft.
hence the total value of the plot became Rs.99,000/-, from which you paid Rs.2,000/- as an advance
and rest amount was to be paid by monthly installments as well as six monthly installments.
P/2…

2). That you have paid Rs.53,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.46,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 76 of 2010.
Dated: 23.11.2010
To
Mr. Muhammad Ali son of Shoukat Ali
r/o: House No. 54/55, Mohallah Pak Colony,
near Imam Barghah, Nawabshah.
FOR :
1). Akhtar Hussain Magsi S/O Muhammad Ayoob Magsi,

2). Ghulam Hussain S/O Muhammad Ayoob Magsi

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you vide booking date 23.04.2007,
for plots bearing No.5 & 6, measuring 1935 Sq. Ft. formed out of S.No. 236 Deh Lakhmir, situated in
Al-Ghafar Town Phse-I, near main gate Airport Road Nawabshah, on the rate of Rs.100/- per sq. ft.
hence the total value of the plot became Rs.1,93,500/-, from which you paid Rs.10,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.1,05,800/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.87,700/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 75 of 2010.
Dated: 23.11.2010
To
Mr. Muhammad Aasim son of Muhammad Aslam
r/o: House No. II B 119-120, Mohallah Manuabad,
near Abdul Qadir, Nawabshah.
FOR :
1). Akhtar Hussain Magsi S/O Muhammad Ayoob Magsi,

2). Ghulam Hussain S/O Muhammad Ayoob Magsi

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you vide booking date 23.04.2007,
for plot bearing No.11, measuring 1080 Sq. Ft. formed out of S.No. 236 Deh Lakhmir, situated in Al-
Ghafar Town Phse-I, near main gate Airport Road Nawabshah, on the rate of Rs.100/- per sq. ft.
hence the total value of the plot became Rs.1,08,000/-, from which you paid Rs.5,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
P/2…

2). That you have paid Rs.69,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.39,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 74 of 2010.
Dated: 23.11.2010
To
Mr. Taj Muhammad Mallah son of Muhammad Ayub Mallah,
r/o: Muhallah Sadiqabad Colony, Nawabshah
FOR :
1). Akhtar Hussain Magsi S/O Muhammad Ayoob Magsi,

2). Ghulam Hussain S/O Muhammad Ayoob Magsi

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you vide booking date 08.05.2007,
for plots bearing No.62, 63, 64, 65, measuring 4400 Sq. Ft. formed out of S.No. 236 Deh Lakhmir,
situated in Al-Ghafar Town Phse-I, near main gate Airport Road Nawabshah, on the rate of Rs.90/-
per sq. ft. hence the total value of the plot became Rs.3,96,000/-, from which you paid Rs.15,000/- as
an advance and rest amount was to be paid by monthly installments as well as six monthly
installments.
P/2…
P/2…

2). That you have paid Rs.1,35,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.2,61,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 73 of 2010.
Dated: 23.11.2010
To
Mr. Syed Furqan Ahmed son of Syed Rafique Ahmed Qadri
r/o: House No. II B-723/A, near Power House ,
Manuabad, Nawabshah.
FOR :
1). Akhtar Hussain Magsi S/O Muhammad Ayoob Magsi,

2). Ghulam Hussain S/O Muhammad Ayoob Magsi

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you vide booking date 18.08.2007,
for plot bearing No.16, measuring 1168.75 Sq. Ft. formed out of S.No. 236 Deh Lakhmir, situated in
Al-Ghafar Town Phse-I, near main gate Airport Road Nawabshah, on the rate of Rs.90/- per sq. ft.
hence the total value of the plot became Rs.1,05,187/-, from which you paid Rs.2,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.

P/2…
2). That you have paid Rs.29,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.76187/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 72 of 2010.
Dated: 23.11.2010
To
Mr. Mehar Ali son of Ghulam Rasool,
r/o: Dastagir Colony Ward No.II, Moro,
District N. Feroze.
FOR :
1). Akhtar Hussain Magsi S/O Muhammad Ayoob Magsi,

2). Ghulam Hussain S/O Muhammad Ayoob Magsi

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you vide booking date 15.07.2007,
for plots bearing No.98-99, measuring 2200 Sq. Ft. formed out of S.No. 236 Deh Lakhmir, situated in
Al-Ghafar Town Phse-I, near main gate Airport Road Nawabshah, on the rate of Rs.78/- per sq. ft.
hence the total value of the plot became Rs.1,71,600/-, from which you paid Rs.6,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.26,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.1,45,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 71 of 2010.
Dated: 23.11.2010
To
Mr. Muhammad Ashraf son of Muhammad Yaseen
r/o: House No. 2045, Babe Rehmat Masjid
Manuabad, Nawabshah.
FOR :
1). Akhtar Hussain Magsi S/O Muhammad Ayoob Magsi,

2). Ghulam Hussain S/O Muhammad Ayoob Magsi

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you vide booking date 23.06.2008,
for plot bearing No.35, measuring 1375 Sq. Ft. formed out of S.No. 236 Deh Lakhmir, situated in Al-
Ghafar Town Phse-I, near main gate Airport Road Nawabshah, on the rate of Rs.90/- per sq. ft.
hence the total value of the plot became Rs.123750/-, from which you paid Rs.3,000/- as an advance
and rest amount was to be paid by monthly installments as well as six monthly installments.
P/2…

2). That you have paid Rs.69,100/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.54,650/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 70 of 2010.
Dated: 23.11.2010
To
Mr. Inam Illahi son of Fazal Illahi,
r/o: House No. A/I 807/62, Mohallah
Manuabad Khouba Chouk, Nawabshah.
FOR :
1). Akhtar Hussain Magsi S/O Muhammad Ayoob Magsi,

2). Ghulam Hussain S/O Muhammad Ayoob Magsi

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you vide booking date 02.08.2007,
for plot bearing No.87, measuring 1100 Sq. Ft. formed out of S.No. 236 Deh Lakhmir, situated in Al-
Ghafar Town Phse-I, near main gate Airport Road Nawabshah, on the rate of Rs.80/- per sq. ft.
hence the total value of the plot became Rs.88,000/-, from which you paid Rs.2,000/- as an advance
and rest amount was to be paid by monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.38,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.50,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 69 of 2010.
Dated: 20.10.2010

To

Mr. Rais Muhammad Mushtaq,


Son of Abdul Hameed,
Advocate , Supreme Court of Pakistan,
r/o: House No.11, Defence Officer colony,
Thandi Sarak, Hyderabad.

2nd. Add: Indus Hotel, Thandi Sarak,


Hyderabad

For :
1). Mr. Mohsin Ali son of Ameeruddin Shaikh,
Muslim, adult, r/o: House NO. B-226/227,
Mohallah Mohni Bazaar, Ali Manzil,
Nawabshah .

2). Mr. Muhammad Ayoob Shaikh son of Nizamuddin,


Ayoob Shaikh Estate Agency,
Mohni Bazaar, Nawabshah.

SUBJECT:- LEGAL NOTICE.

Dear Sir,
P/2…

P/2…
Under the instructions of my clients named above, I serve you this legal
notice as under:-

1). That an agreement of sale was taken place in between you and my clients on
07.11.2008, in respect of properties mentioned herein below :

1) City Survey No. 36 (Several Persons are residing in it)


1043-1 Sq. Yards.

2) City Survey No. 38. 3) City Survey No. 39


3171-3 Sq. Yards. 179-7 Sq. yards.

4). City Survey No. 50 5). City Survey No. 959


6464-1 Sq. Yards. 152-7 Sq. yards.

6). City Survey No. 960


159-5 Sq. Yards.

2). That the property aforesaid was sold by you vide agreement aforesaid in the
sum of Rs.2,00,00,000/- (Rupees Two Crores) while Rs.25,00,000/- were
paid by my clients to you as an advance money and rest of the amount viz.
Rs.1,75,00,000/- were to be paid on or before 10 th November, 2009. The final
registered sale deed of the property aforesaid was verbally agreed to be
taken place on or before 10.11.2009, and balance sale consideration was also
to be paid at the time of registration of sale deed and handing over the
possession of the same as required Under Section 55 (1) (f) of Transfer of
Property Act. However, the facts of handing over the possession and
registration of sale deed were not mentioned in the agreement of sale, but
according to law the both are mandatory to be obliged by the seller.

3). That so far, the information delivered by my clients that you have made no
any effort for obtaining the sale certificates from the departments concerned
to get the transaction aforesaid finalized, therefore, the time for
accomplishment of the words and liabilities / obligations was extended
upto 31.10.2010. It is worth to mention here that my clients have made all
out efforts in respect of sorting out the documents of the properties as per
clause No.(d) of agreement of sale and have come to know that area which
has been mentioned in the agreement is not at the site, which fact was also
brought in your kind notice, but no heed has been paid as yet.
P/3…

P/3…
4). That my clients issued legal notice dated: 05.10.2010, requesting that they
were ready to pay the balance consideration viz. Rs.1,75,00,000/- , subject to
the handing over the possession and registering the sale deed, and in
response you replied dated: 11.10.2010, in which you disclosed that the
property was sold as it is where, it is basis and all expenses were to be borne
by my clients and in case there was any litigation, my clients would have to
face it themselves. Though this was not mentioned in agreement of sale, on
the contrary in General Power of Attorney , executed by you in favour of
my clients dated: 10.11.2008, discloses that the properties were free from all
the encumbrances.

5). That however, whatever mentioned in the reply of legal notice was almost
out of either agreement for sale or General Power of Attorney, though the
same was not got registered before, the Sub-Registrar, which was
mandatory requirement of the law.

6). That my clients are willing and ready to pay the balance sale consideration
amount on stipulated period , if your kind honour may be pleased to
accomplish the requirement of the sale of the properties , viz. getting the
registered sale deed executed as well as handing over the possession of the
properties to the extent as mentioned in agreement for sale as well as in
General Power of Attorney, as foresaid.

7). That my clients do not want to indulge into any litigation and want to settle
the matter amicably and with mutual understanding , for which your co-
operation as aforesaid is required.

8). That your kind honour’s knows that consideration of the cheque has not
been clarified as yet, nor the cheque has been issued with dishonest means.

9). That as per my clients instructions that your kind honour is very prominent
personality having so many other properties situated in Nawabshah town,
such expectation is also being expected by them from you.

10). That map provided by you and map obtained by my clients are also being
sent to you.

Therefore, my clients are watching for your positive reply , so that no


any unwanted happing may be taken place and the transaction took place may be
accomplished amicably, otherwise my clients have no option but to go to law.

Thanks.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 68 of 2010.
Dated: 20.10.2010
To
1. Mr. Hakim Ali Khan & Mr. Saifullah, Advocates,
Lord’s Law Associates, Suit No. 2,
2nd Floor, C-54, Street No. 7,
Badar Commercial Area, D.H.A, Phase-v-Karachi.

Mr. Zafar Ahmed Awan son of Khan Muhammad Awan,


r/o Otaq Quarters, Hospital Road, Nawabshah,
2nd Address: Allied Mobile Shop near Edhi Centre,
Masjid Road Nawabshah.

FOR AND ON BEHALF OF:-


Mr. Amjad Ali and Zulfiqar Ali both sons of Nizam Din Daudpota.

SUBJECT:- REPLY OF LEGAL NOTICE.


Reference: - Your Legal Notice No. 201/ LC dated: 09.10.2010.

Dear Sirs,
In response to your notice referred above, it is replied on behalf of my clients
named above, as under:

1). That in respect of contents of Para No.1 of your legal notice it is replied that no doubt
your client has an office with the name and style of “Allied Trading Company”, Hospital
road Nawabshah but the famousness, honesty and fair work is in question.
P/2…
P/2…
2). That no doubt your client entered in to agreement for sale on 06-03-2007 in respect of plot
No. 05, area five thousand square feet formed out survey No.131-A, Muhammadi Town,
phase 3 Deh 44 Dad, Sakrand Road, Nawabshah, in the sum of Rs. 100/- per square feet
which became Rs. 5,00,000/-, out of which Rs. 100,000/- was paid in advance by my client
namely Amjad Ali. It is however admitted that installment of Rs. 8000/- was fixed to be
paid by every month. It is also worth to mention here that your client has screened the
facts of payment of monthly installments made by my client to your client as he has never
been defaulter in the payment of monthly installments and upto 18-11-2009 my client paid
Rs. 3,72,000/- in total and your client was approached my client and my client offered to
pay the whole outstanding amount viz Rs. 1,28,000/- if the plot is registered in the name of
my client before the Sub-Registrar, Nawabshah, on which your client agreed and asked
my client that since his father had expired, and the property is to be mutated in the name
of your client and other legal heirs of his father and special power of attorney was to be
obtained from other legal heirs, hence as soon as the such requirement is completed he
would get the sale deed registered in faovur of my client . Therefore my client was/ is
willing and ready to pay the outstanding amount in lump sum but it is your client who
has malafidely avoided to do so.

3). That neither any notice previous to the notice referred above either been served or sent by
or on behalf of your client on my client and issuing of previous notice is nothing but
creative of mind of your client, who has become dishonest because of hike in prices of
plots and threatened to sell the plot in question to others.

4). That the cancellation if any as mentioned in the legal notice referred by your client in
respect of plot in question is neither in the knowledge of my client, nor any such
information has been communicated , however if there is so, then this is clear cut fraud,
criminal breach of trust, criminal misappropriation on the part of your client, for which my
client reserves the right to file criminal cases for the offences committed by your client and
file civil litigation in respect of plot in question for specific performance of contract as well
as damages.

5). That it is also worth to mention that here your client is still approaching my client to hold
private faisala but on other hand issued the notice aforesaid, from which the reflection of
malafide is seen crystal clear on the part of your client.

6). That my client has not ever harassed your client by any way nor he intends to do so but he
had right to approach the competent authorities for redressal of his grievance.

7). That you are, therefore requested, that advise your client to comply with his words by
getting the plot in question transferred in the name of my client as soon as possible,
otherwise it will be your client to face to consequences in accordance with law.

Thanks.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 67 of 2010.
Dated: 14.10.2010
To
1. Mr. Zia-ul-Hassan Lanjar, Advocate,
Lanjar House, Ghulam Hyder Shah Colony,
Kazi Ahmed Road, Nawabshah.

2. Mr. Abdul Malik Noonari son of Abdul Qadir Noonari,


Noonari CNG Station By Pass Road, Sakrand,
District Shaheed Benazir Abad.

FOR AND ON BEHALF OF:-


Mr. Ghulam Mustafa Rind S/O Windur Khan Rind,
r/o: Asghar Colony, Ward No.1, Sakrand town,
Taluka Sakrand, District Shaheed Benazir Abad.

SUBJECT:- REPLY OF LEGAL NOTICE.


Reference: - Your Legal Notice No. Nil, dated: 06.10.2010, dispatched on 12.10.2010 and
received on 13.10.2010.

Dear Sirs,
In response to your notice referred above, it is replied on behalf of my client named
above, as under:

1). That in respect of contents of Para No.1 of your legal notice referred above that you /
your client contracted with my client regarding the partnership of the business being run
in the name of and style of “Noonari CNG Station Sakrand” are admitted . It is worth to
mention that vide agreement dated 09.06.2009, the share of my client is 40% in the business
while the share of your/your client is 60%, for which my client complied with all the
required requirements as he has paid Rs.1,40,00,000/- (Rupees One cruor Forty lacs only)
through cross cheques to be deposited in yours / your client’s account. The statement
showing the respective share of the parties issued in the month of September, 2010, is also
annexed.
P/2…
P/2…
2). That in respect of Para No.2, of your legal notice referred above, it is stated that no doubt
the business in between you/your client and my client was being run peacefully without
any misunderstanding till September, 2010, there after you/your client’s tune was
changed and you/your client started not to maintain the account in proper manner as
whatever the income was being made from the business was not being deposited in joint
accounts as agreed in between the parties vide agreement aforesaid. However, the rest
contents that Mr. Asghar Rind came at the CNG Station along with his five companions
and two guards are denied as there is no any truth in the allegations communicated by
you/ your client to you and it is the creative of mind of your client to misguide you
because of his malafide to usurp the share / profit of my client, which can be proved from
the application moved by you/your client dated: 03.10.2010, to TPO, Taluka Sakrand
making allegations against my client and showing him not the partner of you/ your client
in the business. Copy of which is also annexed, for going through the same. Rest of the
contents of this Para are also denied as Mr.Ali Asghar Rind has no concern with the
business of CNG Station as yet. It is also worth to mention here that the agreement
referred by you in your legal notice , my client approached you/your client to get the said
partnership deed registered before the Registrar of Firms, in accordance with law, but to
avoid the same he has started making new theories.

3). That in respect of para No.3 of your legal notice it is stated that neither my client has made
himself retired from the partnership nor there is any question to issue three months prior
notice in writing and my client is willing and ready to work with you/ your client with
mutual consent and understanding but it is your client to hide the proper facts from you. It
is also to mention here that there is loan of more than thirty nine lack to be repaid by
you/your client to National Bank of Pakistan Sakrand Branch, which has even not been
deposited even after consecutive notices of the bank.

4). That my client has neither violated any term of agreement mentined by you and you are
requested to advise your client to accomplish the legal recruitments for the registration of
Partnership Deed as mentioned by you, for which my client reserves the right to get it
registered and it is also worth to mention here that my client as per his instructions is law
abiding person and will not take the law into his own hands , therefore, in the light of
facts aforesaid your client may be advised to do the needful in accordance with law,
otherwise my client shall also be at liberty to resort legal remedy/ relief available to him in
accordance with on your/yours client own risk and costs.

Thanks.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE

NO: MLC/L.N/- 66 of 2010.


Dated: 10.10.2010
To

1. Mr. Jahangir Ali Khan, Advocate,


Katchery Road, Nawabshah.

2. Mr. Muhammad Luqman son of Bakhshaya Khan Mughal,


R/o village Kundi, Taluka Daur, District Shaheed Benazir Abad.

FOR
Mr. Ameer Muhammad son of Muhammad Hanif Chohan
R/o Mohalla Liaquatabad, Nawabshah.

SUBJECT:- REPLY OF LEGAL NOTICE.

Reference: - Your Legal Notice No. Nil, dated: 07-10-2010.

Dear Sir,
In response to your notice referred above, it is replied on behalf of my client, as
under:-

1). That it is fact that my client named above entered into partnership agreement of
the land as mentioned in your para No.1 but why the payment of Rs.5,00,000/- has not
been mentioned to have been received by your client which is hereby stated that at the
time of execution of partnership agreement the said amount was received by your client
from my client in advance.
P/2…

P/2…
2). That in respect of Para No.2, of your legal notice it is replied that all the books of
accounts are ready and available to be verified by your client which he has been doing so
without any interference from any corner. It is also worth to mention here that your client
has received an amount of Rs.30,00,000/- in toto but the same has not been disclosed by
your client to you for which all the record of the account is being sent for verification as
my client has no any adverse intention in respect of the agreement.

3). That in respect of para No.3, of your legal notice, it is informed to you that your
client is deemed to have been dishonest (as per instructions of my client) as without any
source he has leveled allegations that my client has suppressed any thing from your
client.

4). That all the record of selling the plots as well as receiving the amount by my client
from the customers and receiving the said amount as per share of your client is available,
which can be verified at any time.

5). That however, if your client may file any suit or case my client has right to defend
the same , which right he reserves on the risk and cost of your client.

6). That it is also worth to mention here that your client while entering into agremenet
aforeisad spoken lie that he was owner of 06-27 acres , as there is only 03-00 acres land in
his name while rest is in the name of his brother which he has not still got traferred in his
name. Besides this the burden for getting the land converted into Sikni Plots was upon
your client , but task has even not been achived , which is creating handrous , while
running the business of selling the plots. It is also noted to you the agreement taken place
with the customer for selling the plots are required to be signed by your client, which had
already taken place as well as in future , so that to avoid any convenience to the
customer, while getting the registered sale deed executed.

Therefore, your client may be advised not to be instigated by the persons


who are neither his nor my client well wisher.
Please Note
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
September, 29, 2010

To

The Assistant Manager,


HESCO (E), Kazi Ahmed.
For :
Taluka Municpal Adminstrator,
Taluka Municpal Adminstration,
Kazi Ahmed.

SUBJECT:- LEGAL NOTICE.

Dear Sir,
My client referred above sent a letter bearing NO. TMA/Gen: / 295/2010,
Kazi Ahmed, dated: 23.09.2010, to you for restraining your sub-oridnate officials for
supplying the connections to the people from the Transformer specifically installed in the
presmies of my client and due to negligent of your sub-ordinate staff the Transformer may
be over loaded and it may resulted into its burning, which may cause damage the electric
motor(s) installed at the disposal work and suggested as earliest as possible action in that
regard, but inspite of your directions to concerned Line Sueprintendent, In-charge Imam
Bux for removing the illegal conection, the said Line Superintendent , even refused to
receive the letter aforesaid and did not comply with your orders, hence inconvienance is
still being faced.

You are therefore, given this notice that any other Line Sueprintendent or
rsponsibale official may be directed to remove the illegal connections from the
Transformers installed in the premies of my client or you may take personal efforts , so
that difficulty may be removed, otherwise my client shall have the right to resort legal
remedies available in accordance with law. (Photostat copy of letter of my client
mentioned above is attached herewith).
Thanks.

(Rasool Bux Larau)


Advocate.
Copies for information & necessary action:

1). The Chairman, WAPDA, HESCO, Lahore.


2). The Superintendent Engiener, HESCO, WAPDA, Shaheed Benazir
Abad.
3). The Executive Engineer, HESCO, WAPDA, Shaheed Benazir Abad.
NO: MLC/L.N/- 65of 2010.
Dated: 25.09.2010
To

The Executive District Officer ( Health)


Shaheed Benazir Abad.

FOR :
Shahid Ali Khan and Muhamamd Sajid Malak,
Land Lords , Revenue Survey Numbers:S.No. 254, Deh Lakhmir,
Taluka Nawabshah, District Shaheed Benazir Abad.
r/o: House No. 38 Mohallah Ashraf Colony, Nawbashah.

SUBJECT: - APPOINTMENT OF RECOMENDEES FOR LOWER STAFF POST.

Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:

1). That my clients referred above donated a piece of land measuring 7500 Sq. Ft formed out of R.S. No.
254, Deh Lakhmir, Taluka Nawbashah, District Shaheed Benazir Abad, on 06.06.2009, for construction of
Medical Dispensary in Village Faiz Muhammad Bhangwar, and such affidavit was also sworn vide stamp
paper No.4117, dated: 06.06.2009, purchased from Bahadur Ali Rind, Stamp vendor Nawabshah and the
building of which has been constructed.

2). That my clients above named submitted two applications of Abdul Hameed son of Abdul Majeed
Malak and Muhammad Zeeshan so of Abdul Qadir Qureshi for appointment in lower staff, for which you
promised at the time when the land was donated.

3). That since the dispensary has been completed and has started its work and my clients moved such
applications which were got received by your P.A Rasheed Ahmed on 10.12.2009, but since then no any
fruitful action has either been taken or seen as yet.
P/2…

P/2…

Therefore, through this notice you are informed that my clients without monetary
consideration donated a piece of land measuring 7500 Sq. Ft , hence they are entitled that their
recommendees may be appointed in lower post , which may be done as early as possible , failure of which
my clients shall reserve the right to resort to legal remedies available to them , in accordance with law, on
your own risk and costs.

Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
NO: MLC/L.N/- 64 of 2010.
Dated: 25.09.2010
To
Mr. Ikramuddin S/O Imamdin
r/o: Aqsa Colony,
Hala Road Shahdadpur ,
District Sanghar.
FOR :
1). Zulfiqar Ali son of Khadim Hussain Zardari,
r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.
2). Dharam Das alias Wakeel son of Kalu Mal
r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you vide booking date:03.05.2006,
for plot bearing No.C-220, measuring 1080 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. hence the total
value of the plot became Rs.1,29,600/-, from which you paid Rs.10,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.
P/2…
P/2…
2). That you have paid Rs.48,500/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.31,276/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
NO: MLC/L.N/- 63 of 2010.
Dated: 25.09.2010
To
Mr. Khalilullah S/O Bashir Ahmed Surhio
r/o: House No. 3475, Surhia Mohallah,
Shahdadpur ,
District Sanghar.
FOR :
1). Zulfiqar Ali son of Khadim Hussain Zardari,
r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.
2). Dharam Das alias Wakeel son of Kalu Mal
r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.
SUBJECT: - LEGAL NOTICE.
Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you vide booking date:30.11.2008,
for plot bearing No.A-17-18, measuring 2640 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.200/- per sq. ft. hence the total
value of the plot became Rs.5,28,800/-, from which you paid Rs.30,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.2,45,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.50,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 62 of 2010.
Dated: 25.09.2010
To
Miss. Raheela D/O Youvail
r/o: near WAPDA Girds Station,
Bhitai Town, Shahdadpur ,
District Sanghar.
FOR :
1). Zulfiqar Ali son of Khadim Hussain Zardari,
r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.
2). Dharam Das alias Wakeel son of Kalu Mal
r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date:07.01.2008,
for plot bearing No.C-150, measuring 1080 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. hence the total
value of the plot became Rs.1,29,600/-, from which you paid Rs.10,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.
P/2…
P/2….

2). That you have paid Rs.65,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.17,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 61 of 2010.
Dated: 25.09.2010
To
Mr.Hamid Ali son of Noor Alam
r/o: House No. 4347, Mohallah Khalid Street,
Shahdadpur ,
District Sanghar.
FOR :
1). Zulfiqar Ali son of Khadim Hussain Zardari,
r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.
2). Dharam Das alias Wakeel son of Kalu Mal
r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.
4). Muhammad Sajid son of Abdul Ghaffar Malak,
r/o: Rehmatullah Colony, Nawabshah.
SUBJECT: - LEGAL NOTICE.
Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you vide booking date:13.07.2008,
for plot bearing No.C-190, measuring 1080 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. hence the total
value of the plot became Rs.1,29,600/-, from which you paid Rs.10,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.50,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.10,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 60 of 2010.
Dated: 25.09.2010
To
Mr. Ali Muhammad S/O Muhammad Qassim
r/o: Village Allah Bachayo Khaskehli ,
r/o: Shahdapur , Taluka Shahdadpur,
District Sanghar.
FOR :
1). Zulfiqar Ali son of Khadim Hussain Zardari,
r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.
2). Dharam Das alias Wakeel son of Kalu Mal
r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.
SUBJECT: - LEGAL NOTICE.
Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you vide booking date:04.10.2008,
for plot bearing No.C-246, measuring 1000 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. hence the total
value of the plot became Rs.1,20,000/-, from which you paid Rs.10,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.50,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.7,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 59 of 2010.
Dated: 25.09.2010
To
Miss. Raheela D/O Youvail
r/o: near WAPDA Girds Station,
Bhitai Town, Shahdadpur ,
District Sanghar.
FOR :
1). Zulfiqar Ali son of Khadim Hussain Zardari,
r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.
2). Dharam Das alias Wakeel son of Kalu Mal
r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.
SUBJECT: - LEGAL NOTICE.
Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you vide booking date:26.01.2008,
for plot bearing No.C-143, measuring 1080 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. hence the total
value of the plot became Rs.1,29,600/-, from which you paid Rs.66,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.71,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.11,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
To
Dr. Zulfiqar Ali Mastoi,
Hospital Road,
Nawabshah.

For:
Abdul Majeed S/O Muhammad Essa.
R/o Village Haji Soomar Khan, Korai,
Deh 10 Nusrat Taluka Daur.

SUBJECT:- LEGAL NOTICE.

Dear Sir,

On the instructions of my above named clients I placed the legal notice in your
hands as under :

1). That brother of my client namely Ghulam Mustafa son of Muhammad Essa Brohi was
operated at your hands, of his right arm and an steel plate was laid.

2). That after the operation was conducted the brother of my client was in touch with you to
get his arm treated and visited properly but since his operation was not done properly , that was a
reason why, it is prayed the infection which became dangers to his life and this was done
unlawfully and negligently on your part .

3). That in the end you refused to treat the brother of my client and showed inability to
provide medical treatment, resultantly the brother of my client an other Specialist Orthopedic,
whereupon my client came to know that operation was wrongly done and due to fixing steal plate
wrongly the infection was spread, consequently the patient was again operated by Dr. Saeed
Ahmed Samoo and the plate fixed in the arm was removed. By doing that act you had make your
self responsible for committing unlawful and negligent act, which you know that it has spread the
infection of arm injuries dangerous to the life of brother of my client, hence you are called upon to
settle the matter with my client , otherwise he shall be at liberty to initiate criminal as well as civil
litigation on solely on your risk and costs.
Pleas note

(SHAHID AMEER KHASKHELI)


Advocate.
District Bar Association,
Shaheed Benazir Abad.
NO: MLC/L.N/- 58 of 2010.
Dated: 27.05.2010
To
The Chairman ,
Drainage Division LBOD,
Mazdoor Union,
District Shaheed Benazir Abad,
LBOD Colony, Nawabshah.

FOR
Mr. Imam Bux Zardari,
President, Drainage Division LBOD,
Mazdoor Union, District Shaheed Benazir Abad,

SUBJECT:- REPLY OF NOTICE.

Reference: - Your Notice No. Nil, dated: 26.05.2010

Dear Sir,
In response to your notice referred above, it is replied on behalf of my client, as
under:-
1). That my client was elected as President, Drainage Division, LBOD, Mazdoor Union,
District Shaheed Benazir Abad, for two years and such Notification bearing
No.RDL/HYD/RTU/DRNG, DIV, LBOD-SHBNZABD / 09/759, Dated: 31 st October, 2009, was
issued by Engineer Makhdoom Toufique Ahmed, Registrar, Trade Unions, Hyderabad Regions,
Hyderabad, Photostat copy of which is attached herewith.

P/2…

P/2…
2). That no any meeting dated: 01.05.2010, was held in the office of my client or any where
else, otherwise my client would have been intimated in respect of the union, hence the so called
meeting is nothing but creative of your mind, therefore, neither any Vote of no confidence has
been moved nor passed but you have maliced my client by getting the matter falsely
published/communicated in print as well as electronic media.

3). That since no meeting has been held therefore, election of so called new President namely
Allah Jurio Zardari, has no legal as well as moral sanctity.

4). That false allegations have been leveled against my client for which he reserves the rights
for prosecution in Civil as well as criminal, on your own risk and costs.

5). That since my client is legal President of the Union , therefore, there is no question to
vacate the possession of the office and if any action on your part for illegally dispossessing or
forcibly occupying the office of my client is taken place that shall be nothing but criminal act on
your part.

You are therefore, advised to withdraw the notice other wise my client shall be at
liberty to avail legal remedy / relief available with him against you as well as the persons
instigating you, on your own risk and costs.
Please Note
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
CC to the :
1). Executive Engineer, LBOD, Nawabshah.
2). District Co-Ordination Officer, Shaheed Benazir Abad.
3). Registrar, Trade Unions, Hyderabad Region , Hyderabad.
To
Mr. Riaz Ahmed Shar,
District Population Welfare Officer,
Shaheed Benazir Abad.
FOR :

Mr. Muhammad Luqman,


Land Lord of premises of TPWO,
Nawabshah.

REFEENCE : Your Letter NO.DPWQ/SBA/SCCTT/2010-120, DATED: 25.02.2010

Dear,
Your letter referred has been placed by my client for the purpose to reply
the same which is as under :-

1). That with reference to your letter aforesaid , no doubt you have vacated the
premises of my client to him as per date mentioned therein , with the notice of one month.

2). That you are hereby informed that though the letter referred above has
been issued with one month notice but you have failed to deposit the bill of Sui Gas
amounting to Rs.8400/- issue dated is 01.04.2010
You are therefore, required to clear Utility Bills including Sui Gas bill issue
date 01.04.2010, i.e. the Bill of March, 2010, otherwise my client shall be at liberty to resort
to legal remedies available to him in accordance with law , on your own risk and costs.
Please note.

(Asif Dawood )
Advocate
District Bar Association
Shaheed Benazir Abad.
NO: MLC/L.N/- 57 of 2010.
Dated: 12.05.2010
To
Mr. Muhammad Sharif son of Phool Muhammad
r/o:House No. 11/12 Block No.9, Ward No.7,
Hussaini Road, Nawabshah.
FOR :

1). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

2). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date:25.07.2007,
for plots bearing Nos. 128, 129, 130, 131, total measuring 4800 Sq. Ft. formed out of S.No.142/2,4,
143/3,4 and 144/2,4,5, situated in Deh 86 Nusrat, “Jaffar City” Sanghar Road Nawabshah, Taluka
Nawabshah, District Shaheed Benazir Abad, on the rate of Rs.170/- per sq. ft. hence the total value
of the plot became Rs.8,16,000/-, from which you paid Rs.40,000/- as an advance and rest amount
was to be paid monthly installments as well as six monthly installments.
P/2…

P/2…

2). That you have paid Rs.3,01,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.2,40,000/- to till date.
3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 56 of 2010.
Dated: 12.05.2010
To
Mr. Muhammad Arif son of Muhammad Shafi
r/o: Quarter No. 12-13 Muhajir Colony, near Bismillah Masjid,
Hussaini Road, Nawabshah.
FOR :

1). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

2). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date:25.07.2007,
for plot bearing No.208, measuring 1417-5 Sq. Ft. formed out of S.No.142/2,4, 143/3,4 and 144/2,4,5,
situated in Deh 86 Nusrat, “Jaffar City” Sanghar Road Nawabshah, Taluka Nawabshah, District
Shaheed Benazir Abad, on the rate of Rs.150/- per sq. ft. hence the total value of the plot became
Rs.2,12,625/-, from which you paid Rs.10,000/- as an advance and rest amount was to be paid
monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.75,500/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.29,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 55 of 2010.
Dated: 12.05.2010
To
Mr. Muhammad Arif son of Muhammad Shafi
r/o: Quarter No. 12-13 Muhajir Colony, near Bismillah Masjid,
Hussaini Road, Nawabshah.
FOR :

1). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

2). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date:25.07.2007,
for plot bearing No.66, measuring 1320 Sq. Ft. formed out of S.No.142/2,4, 143/3,4 and 144/2,4,5,
situated in Deh 86 Nusrat, “Jaffar City” Sanghar Road Nawabshah, Taluka Nawabshah, District
Shaheed Benazir Abad, on the rate of Rs.170/- per sq. ft. hence the total value of the plot became
Rs.2,24,400/-, from which you paid Rs.20,000/- as an advance and rest amount was to be paid
monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.1,13,500/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.33,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 54 of 2010.
Dated: 12.05.2010
To
Mr. Muhammad Arif son of Muhammad Shafi
r/o: Quarter No. 12-13 Muhajir Colony, near Bismillah Masjid,
Hussaini Road, Nawabshah.
FOR :

1). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

2). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date:25.07.2007,
for plot bearing No.171, measuring 1417-5 Sq. Ft. formed out of S.No.142/2,4, 143/3,4 and 144/2,4,5,
situated in Deh 86 Nusrat, “Jaffar City” Sanghar Road Nawabshah, Taluka Nawabshah, District
Shaheed Benazir Abad, on the rate of Rs.150/- per sq. ft. hence the total value of the plot became
Rs.2,12,625/-, from which you paid Rs.10,000/- as an advance and rest amount was to be paid
monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.76,500/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.28,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 53 of 2010.
Dated: 12.05.2010
To
Nisar Muhammad S/O Atta Muhammad
r/o: house No. E-45 Mohalla Marvei Goth,,
Qaid-e-Abad, Landhi, Karachi.
FOR :
1). Zulfiqar Ali son of Khadim Hussain Zardari,
r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.
2). Dharam Das alias Wakeel son of Kalu Mal
r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date:09.08.2008,
for plot bearing No.C-207, measuring 1080 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. hence the total
value of the plot became Rs.1,29,600/-, from which you paid Rs.10,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.43,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.24,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 52 of 2010.
Dated: 12.05.2010
To
Mr. Muhammad Akbar Qureshi S/O
Haji Muhammad Iqbal Qureshi,
r/o: House No. 757 Mohalla Jani Pura,
Shahdadpur, District Sanghar.
FOR :
1). Zulfiqar Ali son of Khadim Hussain Zardari,
r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.
2). Dharam Das alias Wakeel son of Kalu Mal
r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date:09.08.2008,
for plot bearing No.A-53, measuring 1320 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D, 813/4-
B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road Shahdadpur,
Taluka Shahdadpur, District Sanghar, on the rate of Rs.200/- per sq. ft. hence the total value of the
plot became Rs.2,64,000/-, from which you paid Rs.12,000/- as an advance and rest amount was to
be paid monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.75,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.25,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 51 of 2010.
Dated: 12.05.2010
To
Mr. Ghulam Muhammad son of Allah Dino
R/O: Village Abdul Ghafoor Sand, P.O
Shahdadpur, Taluka Shahdadpur
FOR :
1). Zulfiqar Ali son of Khadim Hussain Zardari,
r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.
2). Dharam Das alias Wakeel son of Kalu Mal
r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date:09.08.2008,
for plot bearing No.B-95, measuring 1320 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D, 813/4-
B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road Shahdadpur,
Taluka Shahdadpur, District Sanghar, on the rate of Rs.150/- per sq. ft. hence the total value of the
plot became Rs.1,98,000/-, from which you paid Rs.15,000/- as an advance and rest amount was to
be paid monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.53,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.28,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 50 of 2010.
Dated: 30.04.2010
To

Mr. Azizullah Rajpar S/O Muhammad Hassan Rajpar,


r/o: Jiando Rajper, P.O Mehrabpur, District N. Feroze.
FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this notice in your hands as under:-

1). That by mutual understanding it has been agreed in between you and my clients that outstanding
payment against you will be recovered after the land is made Sikini and lay out plan is approved.

2). That you would be liable to pay all the outstanding in toto.

Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
NO: MLC/L.N/- 49 of 2010.
Dated: 30.04.2010
To

Mr. Muhammad Ramzan S/O Loung Khan,


r/o: Mohalla Taj Colony, near Faiz Hospital,
Nawabshah.
FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this notice in your hands as under:-

1). That by mutual understanding it has been agreed in between you and my clients that outstanding
payment against you will be recovered after the land is made Sikini and lay out plan is approved.

2). That you would be liable to pay all the outstanding in toto.

Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
NO: MLC/L.N/- 48 of 2010.
Dated: 30.04.2010
To

Mr. Subhan Ali S/O Muhammad Paryal Dayo,


r/o: Village Qazi P.O Sagayoon, Taluka Sobhodero,
District Khairpur.
FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this notice in your hands as under:-

1). That by mutual understanding it has been agreed in between you and my clients that outstanding
payment against you will be recovered after the land is made Sikini and lay out plan is approved.

2). That you would be liable to pay all the outstanding in toto.

Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
NO: MLC/L.N/- 47 of 2010.
Dated: 30.04.2010
To
Mr. Zahid Ahmed Memon S/O Muhammad Haroon Memon
R/O: Azim Colony, Ward No.1,
Nawabshah.
FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this notice in your hands as under:-

1). That by mutual understanding it has been agreed in between you and my clients that outstanding
payment against you will be recovered after the land is made Sikini and lay out plan is approved.

2). That you would be liable to pay all the outstanding in toto.

Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
NO: MLC/L.N/- 46 of 2010.
Dated: 15.04.2010

To

Mr. Abdul Ghafoor Bhangwar S/O Allah Dad Bhangwar,


r/o: Deh Lakhmir, Village Faiz Muhammad Bhangwar,
Taluka Nawabshah, District Shaheed Benazir Abad.
FOR :

1). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

2). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.
SUBJECT: - LEGAL NOTICE.
Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date:01.09.2008,
for plots bearing No. 33, 35, 41, 56, 57, 64, 83, 87, 88, 95, 96, 97, and 98, total measuring 15525 Sq.
Ft. formed out of S.No.254, Deh Lakhmir, situated in VIP Faiz Model Town, VIP Road, Nawabshah,
Taluka Nawabshah, District Shaheed Benazir Abad, on the rate of Rs.160/- per sq. ft. hence the total
value of the plots became Rs.24,84,000/-, from which you paid Rs.1,30,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.

P/2…
P/2…

2). That you have paid Rs.3,40,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.9,41,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plots, as you were issued recovery notice bearing No.123 dated:
14.03.2009 through post , recovery reminder notice bearing NO.124, dated: 23.06.2009, through post
and Final notice bearing NO. 91, 18.02.2010, through T.N.T Courier Service but you did not respond
properly . It is also worth to mention here that last installment of Rs.40,000/- was deposited by you on
30.01.2010, vide receipt No.2534 and rest of the amount was to be cleared within one month of
aforesaid date , but till date you have not done so.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plots you have purchased within three days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plots aforesaid.

The reply of this legal notice may be given within three days otherwise it will be deemed that
you shall have nothing to say.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 45 of 2010.
Dated: 14.04.2010
To
1. Riaz Ahmed son of not known, Chief
Editor, Haftroza Muqadam News
Nawabshah, r/o: Riaz Charity
Hospital, Taj Colony, UC No.6,
Nawabshah.

2. Faraz Ahmed Arain son of not known,


Editor, Haftroza Muqadam News
Nawabshah, r/o: Riaz Charity
Hospital, Taj Colony, UC No.6,
Nawabshah.
For
Dr. Muhammad Ishaque, S/O Abu
Bakar Channar, adult, muslim, Assistant
Professor & Head of Department of
Radiology, PMC , Nawabshah, r/o:
Doctor’s Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE U/S 8 OF DEFAMATION ORDINANCE, 2002.


Dear Sir,
On the instructions of my above named client, I place this legal notice in your hands as
under:-

1). That my client is respectable citizen and Govt. Servant working in BPS-18 and enjoying good
reputation.

2). That you with malice caused the defamatory matter published against my above named client in
Hafatroza Muqadam News Nawabshah Sindh, Dated: 29 March, 2010 to 5 th April, 2010, 06th April
2010 to 13th April, 2010 and 12th April, 2010 to 19th April, 2010, containing defamatory matter that “he
is busy in extorting the people in general with both hands” and held yourself responsible for action
under the civil as well as criminal law.
P/2…

P/2…

3). That by committing the aforesaid act by you the reputation of my client has been badly injured and
the news papers in which libelous matter has been published has very wide net work.

4). That by your such act my client has been disreputed in the society by the publication of false mater
against him as he is serving as govt. officer in BPS-18 and no assessment of dis-reputation can not
be done.

Therefore, you are called upon to pay the damages of at least Rs.1,00,00,000/-
( Rupees one Crore only ) and settle the matter with my client and apologize to my client through
same news papers within 14 days, otherwise my client shall initiate proceeding Civil as well as
Criminal against you on your on risk and costs.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 43 of 2010.
Dated: 13.04.2010
To
Mst. Akbari W/O Muhammad Mursalen
r/o: Muhalla Jani Pura, Ward No.4,
Shahdadpur, District Sanghar.
FOR :
1). Zulfiqar Ali son of Khadim Hussain Zardari,
r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.
2). Dharam Das alias Wakeel son of Kalu Mal
r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date:08.03.2008,
for plot bearing No.C- 158, measuring 1080 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. hence the total
value of the plot became Rs.1,29,600/-, from which you paid Rs.5,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.
P/2…

P/2…

2). That you have paid Rs.36,500/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.33,500/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.
You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 42 of 2010.
Dated: 13.04.2010
To
Mr. Khaliullah S/O Bashir Ahmed
r/o: House No.3475 Suriya Para ,
Shahdadpur.
FOR :
1). Zulfiqar Ali son of Khadim Hussain Zardari,
r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date:30.11.2007,
for plot bearing No.A-17-18, measuring 2640 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.200/- per sq. ft. hence the total
value of the plot became Rs.5,28,000/-, from which you paid Rs.30,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.2,05,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.45,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 41 of 2010.
Dated: 13.04.2010
To
Mr. Abdullah S/O Dhani Bux ,
r/o: House No.16/474, Dadwai road Shikarpur Wazeerabad,
Taluka Lakhi, District Shikarpur.
FOR :
1). Zulfiqar Ali son of Khadim Hussain Zardari,
r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date:14.06.2008,
for plot bearing No.C- 168, measuring 1080 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. hence the total
value of the plot became Rs.1,29,600/-, from which you paid Rs.10,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.41,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.15,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 40 of 2010.
Dated: 13.04.2010
To
Mr. Abdullah S/O Dhani Bux ,
r/o: House No.16/474, Dadwai road Shikarpur Wazeerabad,
Taluka Lakhi, District Shikarpur.
FOR :
1). Zulfiqar Ali son of Khadim Hussain Zardari,
r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date:14.06.2008,
for plot bearing No.C- 169, measuring 1080 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. hence the total
value of the plot became Rs.1,29,600/-, from which you paid Rs.10,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.
P/2…

2). That you have paid Rs.25,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.231,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 39 of 2010.
Dated: 11.04.2010
To

Mr. Muhammad Aslam @ Babu S/O Turab Ali ,


r/o: House No. C-444/70, Mohalla Mariyam Road,
Nawabshah.
FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 31.05.2008,
for plot bearing No.146, measuring 1100 Sq. Ft. formed out of S.No. 235 Deh Lakhmir, situated in Al-
Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of Rs.100/- per sq. ft.
hence the total value of the plot became Rs.1,10,000/-, from which you paid Rs.5,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.

2). That you have paid Rs.34,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.18,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.
You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 38 of 2010.
Dated: 11.04.2010
To

Mr. Zahid Ahmed Memon S/O Muhammad Haroon Memon


R/O: Azim Colony, Ward No.1,
Nawabshah.
FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 30.09.2008,
for plot bearing No.126, measuring 1100 Sq. Ft. formed out of S.No. 235 Deh Lakhmir, situated in Al-
Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of Rs.100/- per sq. ft.
hence the total value of the plot became Rs.1,10,000/-, from which you paid Rs.5,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
2). That you have paid Rs.31,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.16,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 37 of 2010.
Dated: 11.04.2010
To

Mr. Muhammad Ramzan S/O Loung Khan,


r/o: Mohalla Taj Colony, near Faiz Hospital,
Nawabshah.
FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 20.10.2008,
for plot bearing No.102, measuring 1000 Sq. Ft. formed out of S.No. 235 Deh Lakhmir, situated in Al-
Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of Rs.100/- per sq. ft.
hence the total value of the plot became Rs.1,00,000/-, from which you paid Rs.5,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
2). That you have paid Rs.23,500/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.29,500/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 36 of 2010.
Dated: 11.04.2010
To
Mr. Azizullah Rajpar S/O Muhammad Hassan Rajpar,
r/o: Jiando Rajper, P.O Mehrabpur, District N. Feroze.

FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 11.10.2008,
for plots bearing No.104-105, measuring 1000 Sq. Ft. each total measuring 2000 Sq. Ft formed out of
S.No. 235 Deh Lakhmir, situated in Al-Ghafar Town Phase-II, near main gate Airport Road
Nawabshah, on the rate of Rs.100/- per sq. ft. hence the total value of the plots became
Rs.2,00,000/-, from which you paid Rs.10,000/- as an advance and rest amount was to be paid by
monthly installments as well as six monthly installments.
2). That you have paid Rs.70,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.21,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plots.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plots you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plots aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 35 of 2010.
Dated: 11.04.2010
To
Mr. Inayatullah S/O Sher Muhammad Brohi,
r/o: Village Karam Ali Khan, 60th Mile road,
Nawabshah.
FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 17.04.2008,
for plot bearing No.147, measuring 1100 Sq. Ft. formed out of S.No. 235 Deh Lakhmir, situated in Al-
Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of Rs.100/- per sq. ft.
hence the total value of the plot became Rs.1,10,000/-, from which you paid Rs.3,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
2). That you have paid Rs.38,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.13,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
NO: MLC/L.N/- 34 of 2010.
Dated: 11.04.2010
To
Mr. Subhan Ali S/O Muhammad Paryal Dayo,
r/o: Village Qazi P.O Sagayoon, Taluka Sobhodero,
District Khairpur.
FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 16.10.2008,
for plot bearing No.169, measuring 1000 Sq. Ft. formed out of S.No. 235 Deh Lakhmir, situated in Al-
Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of Rs.120/- per sq. ft.
hence the total value of the plot became Rs.1,20,000/-, from which you paid Rs.5,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.

2). That you have paid Rs.37,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.16,000/- to till date.
3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 33 of 2010.
Dated: 11.04.2010
To
Miss. Naseem Hasan W/O Ahmed Hassan
r/o: House NO. 190 Mohalla Khairshah Gambat,
District Khairpur.

FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 19.07.2008,
for plot bearing No.156, measuring 1000 Sq. Ft. formed out of S.No. 235 Deh Lakhmir, situated in Al-
Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of Rs.115/- per sq. ft.
hence the total value of the plot became Rs.1,15,000/-, from which you paid Rs.5,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
2). That you have paid Rs.7,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.49,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
NO: MLC/L.N/- 32 of 2010.
Dated: 11.04.2010
To
Miss. Nasreen Altaf W/O Altaf Hussain,
r/o: House NO. 190 Mohalla Khairshah Gambat,
District Khairpur.

FOR :

1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 19.07.2008,
for plot bearing No.155, measuring 1000 Sq. Ft. formed out of S.No. 235 Deh Lakhmir, situated in Al-
Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of Rs.115/- per sq. ft.
hence the total value of the plot became Rs.1,15,000/-, from which you paid Rs.5,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
2). That you have paid Rs.31,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.25,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
NO: MLC/L.N/- 31 of 2010.
Dated: 11.04.2010
To
Miss.Najma Parveen D/O Nadir Ali Baig,
r/o: House NO. 190 Mohalla Khairshah Gambat,
District Khairpur.

FOR :

1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 14.07.2008,
for plot bearing No.154, measuring 1000 Sq. Ft. formed out of S.No. 235 Deh Lakhmir, situated in Al-
Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of Rs.115/- per sq. ft.
hence the total value of the plot became Rs.1,15,000/-, from which you paid Rs.5,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
2). That you have paid Rs.21,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.35,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
NO: MLC/L.N/- 30 of 2010.
Dated: 11.04.2010
To
Mr. Muhammad Laique S/O Shafi Muhammad Khaskheli,
r/o: village Shah Muhammad Khaskheli, P.O Lakhat Road
Taluka Bhiria City, District N. Feroze.

FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 10.04.2008,
for plot bearing No.167, measuring 1100 Sq. Ft. formed out of S.No. 235 Deh Lakhmir, situated in Al-
Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of Rs.110/- per sq. ft.
hence the total value of the plot became Rs.1,10,000/-, from which you paid Rs.5,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
2). That you have paid Rs.37,500/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.31,500/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
NO: MLC/L.N/- 29 of 2010.
Dated: 11.04.2010
To
Mr. Shafquat Ali S/O Sabir Ali Baigh,
r/o: House No. 190, Mohalla Khairshah Gambat,
District Khairpur.

FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 25.06.2008,
for plot bearing No.153 measuring 1000 Sq. Ft. formed out of S.No. 235 Deh Lakhmir, situated in Al-
Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of Rs.115/- per sq. ft.
hence the total value of the plot became Rs.1,15,000/-, from which you paid Rs.5,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
2). That you have paid Rs.23,500/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.30,500/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
NO: MLC/L.N/- 28 of 2010.
Dated: 11.04.2010
To
Miss. Aashia D/O Imamuddin Khokhar,
r/o: House NO. 190, Muhallah Khair Shah Ghumbt,
District Khairpur.

2nd. Add: Mohallah Golimar near Taj Masjid , Railway Phatak,


Line Par Nawabshah

FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 24.06.2008,
for plot bearing No.153-A, measuring 1080 Sq. Ft. formed out of S.No. 235 Deh Lakhmir, situated in
Al-Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of Rs.115/- per sq. ft.
hence the total value of the plot became Rs.1,24,200/-, from which you paid Rs.5,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
2). That you have paid Rs.33,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.24,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
NO: MLC/L.N/- 27 of 2010.
Dated: 11.04.2010
To
Mr. Muhstaq Ali S/O Muhammad Hassan Zardari,
r/o: Village Jamal Shah, Deh 10 Dad,
P.O Asghar Abad, Taluka Daur,
District Shaheed Benazir Abad.

FOR :
1). Muhammad Hanif S/O Haji Ghulam Nabi Magsi,

2). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

3). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 15.07.2008,
for plot bearing No.170, measuring 1000 Sq. Ft. formed out of S.No. 235 Deh Lakhmir, situated in Al-
Ghafar Town Phase-II, near main gate Airport Road Nawabshah, on the rate of Rs.120/- per sq. ft.
hence the total value of the plot became Rs.1,20,000/-, from which you paid Rs.5,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
2). That you have paid Rs.37,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.19,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
NO: MLC/L.N/- 26 of 2010.
Dated:08.04.2010

To
Mr. Sona Khan son of Muhammad Ibrahim Khan Brohi,
Muslim, adult, r/o: Baloch Colony, Sakrand Road,
Nawabshah.
FOR :
Syed Irshad Hussain Shah S/O Syed Murad Ali Shah
Muslim, adult, r/o: Syed House, Ghariababad,
Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named client I place this legal notice in your hand as under:-
1). That my client entered into an agreement of working partnership with regard to plots formed out of S.No.107/2
to 4 , measuring 12-00 acres situated in Deh 25 Dad, Taluka Nawabshah, District Shaheed Benazir Abad, on the basis
of 75% / 25% share on 30.12.2008.

2). That you were bound to pay Rs.40,00,000/- to my client , as you paid Rs.5,00,000/- in cash while issued
cheques of Rs.15,00,000/- dated: 15.01.2009 and Rs.20,00,000/- dated: 01.03.2009. However, the cheques were
dishonoured.

3). That you have not complied with the terms and conditions of the agreement as you entered into an agreement
for sale of plots by showing yourself to be the owner of the land , which is against the facts of the agreement, hence you
have violated , therefore, made yourself responsible for legal consequences.

You are therefore, required to settle the matter with my client within 10 days , otherwise my client
shall be at liberty to get the said sale agreement viz. dated: 30.12.2008, cancelled by the competent Court of law on
your own risk and cost and the amount paid by you to my client shall be deemed to have been forfeited.
Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
NO: MLC/L.N/- 25 of 2010.
Dated: 08.04.2010
To
Mr. Zahid Ahmed S/O Muhammad Haroon Memon,
r/o: Azim Colony, Ward No.1, Nawabshah.

FOR :

1). Akhtar Hussain Magsi S/O Muhammad Ayoob Magsi,

2). Ghulam Hussain S/O Muhammad Ayoob Magsi

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you vide booking date 31.10.2009,
for plot bearing No.18, measuring 1100 Sq. Ft. formed out of S.No. 236 Deh Lakhmir, situated in Al-
Ghafar Town Phse-I, near main gate Airport Road Nawabshah, on the rate of Rs.120/- per sq. ft.
hence the total value of the plot became Rs.1,32,000/-, from which you paid Rs.5,000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
2). That you have paid Rs.5,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.17,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 24 of 2010.
Dated: 08.04.2010
To
Mr.Asif Memon son of Muhammad Iqbal Memon,
r/o: near Goal Chakra, Sadar Market Nawabshah,
near the office of Advocate Mr. Manzoor Ahmed
FOR :
1). Akhtar Hussain Magsi S/O Muhammad Ayoob Magsi,

2). Ghulam Hussain S/O Muhammad Ayoob Magsi

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you vide booking date 30.06.2007,
for plot bearing No.43, measuring 1100 Sq. Ft. formed out of S.No. 236 Deh Lakhmir, situated in Al-
Ghafar Town Phse-I, near main gate Airport Road Nawabshah, on the rate of Rs.90/- per sq. ft.
hence the total value of the plot became Rs.99,000/-, from which you paid Rs.2,000/- as an advance
and rest amount was to be paid by monthly installments as well as six monthly installments.
2). That you have paid Rs.53,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.34,330/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 23 of 2010.
Dated: 08.04.2010
To
Mr. Muhammad Ashraf son of Muhammad Yaseen,
r/o: House NO. 2045, near Babe-Rehmat Masjid ,
Mohallah Manuabad, Nawabshah.
FOR :
1). Akhtar Hussain Magsi S/O Muhammad Ayoob Magsi,

2). Ghulam Hussain S/O Muhammad Ayoob Magsi

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 23.06.2007,
for plot bearing No.35, measuring 1375 Sq. Ft. formed out of S.No. 236 Deh Lakhmir, situated in Al-
Ghafar Town Phse-I, near main gate Airport Road Nawabshah, on the rate of Rs.90/- per sq. ft.
hence the total value of the plot became Rs.1,23, 750//-, from which you paid Rs.3000/- as an
advance and rest amount was to be paid by monthly installments as well as six monthly installments.
2). That you have paid Rs.69,100/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.38,525/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 22 of 2010.
Dated: 08.04.2010
To
Mr. Inam Illahi S/O Fazal Illahi r/o: House No.A-1807/62,
r/o: Mohallah Manuabad, Khawaja Chowk,
Nawabshah.
FOR :
1). Akhtar Hussain Magsi S/O Muhammad Ayoob Magsi,

2). Ghulam Hussain S/O Muhammad Ayoob Magsi

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you vide booking date 02.08.2007,
for plot bearing No.87, measuring 1100 Sq. Ft. formed out of S.No. 236 Deh Lakhmir, situated in Al-
Ghafar Town Phse-I, near main gate Airport Road Nawabshah, on the rate of Rs.80/- per sq. ft.
hence the total value of the plot became Rs.88,000/-, from which you paid Rs.2,000/- as an advance
and rest amount was to be paid by monthly installments as well as six monthly installments.
2). That you have paid Rs.38,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.37,665/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 21 of 2010.
Dated: 08.04.2010
To
Mr. Asif Iqbal son of Rehmatullah Shaikh,
r/o: Ward No.1, Mohallah Dastagir Colony, Moro,
Moro Town, Taluka Moro, District N. Feroze.
FOR :
1). Akhtar Hussain Magsi S/O Muhammad Ayoob Magsi,

2). Ghulam Hussain S/O Muhammad Ayoob Magsi

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you vide booking date 25.08.2007,
for plot bearing No.88, measuring 1100 Sq. Ft. formed out of S.No. 236 Deh Lakhmir, situated in Al-
Ghafar Town Phse-I, near main gate, Airport Road Nawabshah, on the rate of Rs.75/- per sq. ft.
hence the total value of the plot became Rs.82,500/-, from which you paid Rs.2,000/- as an advance
and rest amount was to be paid by monthly installments as well as six monthly installments.
2). That you have paid Rs.41,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.30,080/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 20 of 2010.
Dated: 08.04.2010
To
Mr. Ghulam Ali Arain S/O Manzoor Ahmed Arain
r/o: House No.900/114, Mohalla Gharibabad,
Dadu.
FOR :
1). Akhtar Hussain Magsi S/O Muhammad Ayoob Magsi,

2). Ghulam Hussain S/O Muhammad Ayoob Magsi

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you vide booking date 18.08.2007,
for plot bearing No.13, measuring 1498.75 Sq. Ft. formed out of S.No. 236 Deh Lakhmir, situated in
Al-Ghafar Town Phse-I, near main gate Airport Road Nawabshah, on the rate of Rs.90/- per sq. ft.
hence the total value of the plot became Rs.1,34,887/-, from which you paid Rs.3,000/- as an
advance and rest amount was to be paid monthly installments as well as six monthly installments.
2). That you have paid Rs.39,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.75,909/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otheise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 19 of 2010.
Dated: 08.04.2010
To
Mr. Muhammad Azeem Keerio S/O Haji Walidad Keerio,
r/o: Deh Sukhpur, Village Landhi, P.O Landhi,
Taluka Sakrand, District Shaheed Benazir Abad.
FOR :
1). Akhtar Hussain Magsi S/O Muhammad Ayoob Magsi,

2). Ghulam Hussain S/O Muhammad Ayoob Magsi

3). Shahid Ali Khan son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
1). That my clients named above entered into sale agreement with you vide booking date 24.05.2008,
for plot bearing No.48, measuring 1100 Sq. Ft. formed out of S.No. 236 Deh Lakhmir, situated in Al-
Ghafar Town Phse-I, near main gate Airport Road Nawabshah, on the rate of Rs.120/- per sq. ft.
hence the total value of the plot became Rs.1,32,000/-, from which you paid Rs.3,000/- as an
advance and rest amount was to be paid monthly installments as well as six monthly installments.

P/2…
2). That you have paid Rs.36,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.20,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 18 of 2010.
Dated: 08.02.2010
To
Mr.Ghulam Murtaza S/O Muhammad Haroon,
r/o: House No.14, Aqsa Colony, Ward No.04,
Shahdadpur Town, Taluka Shahdadpur,
District Sanghar.
FOR :
1). Zulfiqar Ali son of Khadim Hussain Zardari,
r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.


Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
P/2…

P/2…

1). That my clients named above entered into sale agreement with you vide booking date 01.01.2009,
for plot bearing No.C- 256, measuring 1000 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. hence the total
value of the plot became Rs.1,20,000/-, from which you paid Rs.10,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.

2). That you have paid Rs.22,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.17,000/- to till date.
3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 17 of 2010.
Dated: 08.02.2010
To
Mr. Mehmood son of Babu,
r/o: House No.241, Mohalla Sagar Colony,
Hyderabad
FOR :
1). Zulfiqar Ali son of Khadim Hussain Zardari,
r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
P/2…

P/2…
1). That my clients named above entered into sale agreement with you vide booking date 05.01.2009,
for plot bearing No.C- 261, measuring 1000 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. hence the total
value of the plot became Rs.1,20,000/-, from which you paid Rs.10,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.

2). That you have paid Rs.20,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.19,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 16 of 2010.
Dated: 08.02.2010
To
Mr. Ashique Ali son of Muhammad Siddique,
r/o: House No.571/ 72, Landhi , Shairpao Colony,
Street No.D-18, Sector F-1, Landhi.
Karachi.
FOR :
1). Zulfiqar Ali son of Khadim Hussain Zardari,
r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
P/2…

P/2…
1). That my clients named above entered into sale agreement with you vide booking date 10.11.2008,
for plot bearing No.C- 253, measuring 1000 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. hence the total
value of the plot became Rs.1,20,000/-, from which you paid Rs.8,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.

2). That you have paid Rs.16,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.22,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 15 of 2010.
Dated: 08.02.2010
To
Mr. Javed Ali son of Allah Dino,
r/o: near Maka Masjid, Bukhari Mohalla,
Shahdadpur Town, Taluka Shahdadpur,
District Sanghar.
FOR :
1). Zulfiqar Ali son of Khadim Hussain Zardari,
r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-
P/2…

P/2…
1). That my clients named above entered into sale agreement with you vide booking date 08.11.2008,
for plot bearing No.C- 247, measuring 1000 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. hence the total
value of the plot became Rs.1,20,000/-, from which you paid Rs.10,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.

2). That you have paid Rs.25,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.16,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 14 of 2010.
Dated:06.02.2010

To

Mr. Abdul Ghaffar S/O Islamuddin Arain,


r/o: near Abdul Qadir Park, Mohalla Manuabad,
Nawabshah.

FOR :

Mrs. Rehana Arshad Wd/O Arshad Mehmood Awan,


r/o: Peela Camp No.1, Line Par, UC No.08,
Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my above named client, I place this legal notice in your hands as
under:-

1). That late husband of my client purchased flats No. 20 and 23 situated over the shopping center at
Liaquat Market Nawabshah, in the sum of Rs.15,00,000/- from you, which were paid at the time of
sale agreement vide dated: 08.10.2007.

2). That since the husband of my client died on 15.01.2009, leaving behind him the legal heirs including
my client, copy of heir ship certificate issued by Mukhtiarkar (Revenue), Nawabshah enclosed.
P/2…

P/2…
3). That the flats aforesaid have not been transferred in the name of the legal heirs after the death of
husband of my client , hence you are required to get the said flats allotted and transferred in the
name of the legal heirs of said deceased as per second para of sale agreement to avoid any
inconvenience to my client and other legal heirs.

4). That Photostat copy of sale agreement is also attached herewith.

Therefore, you are given the notice that co-operate with my client for getting the flats
aforesaid in names of the legal heirs of deceased Arshad Mehmood Awan within a month , otherwise my
client shall be at liberty to resort to legal remedies available to her in accordance with law.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
To

The Zilla Nazim,


Zilla Council,
Shaheed Benazir Abad.

SUBJECT:- REQESUT FOR ALLTOMENT / TRANSFER OF FLATS NO. 20 AND 23,


SIUTATED OVER THE SHOPPING CENTER , AT LIQUAT MARKET
NAWABSHAH.

Respected Sir,

It is humbly submitted that my late husband Arshad Mehmood Awan

purchased flats No. 20 and 23 from its previous owner / allottee Mr. Abdul Ghafar son of

Islamuddin Arain , vide sale agreement dated: 08.10.2007, copy of which is submitted

herewith. Said Abdul Ghaffar bound himself to get the flats transferred / allotted in the

name of my late husband but due to said demise of my husband, the same could not be

transferred in his name, therefore, the same may be transferred/ allotted in the names of

the legal heirs of my late husband including me and my daughter. Photostat copy of heir

ship certificate is also submitted herewith.

Thanks.

(Mst. Rehana Arshad Wd/O


Arshad Mehmood
Awan)
r/o: Peela Camp No.1, Line
Par, UC NO.08, Nawabshah.
NO: MLC/L.N/- 13 of 2010.
Dated: 19.01.2010
To

Mr. Mushtaq Ali Thaheem S/O Umed Ali Thaheem ,


r/o: Landhi, P.O Dehro, Taluka Tando Adam
Taluka Shahdadpur.
FOR :

1). Zulfiqar Ali son of Khadim Hussain Zardari,


r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 19.04.2008,
for plot bearing No.B- 114, measuring 1080 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.150/- per sq. ft. hence the total
value of the plot became Rs.1,62,000/-, from which you paid Rs.10,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.
P/2…
P/2…
2). That you have paid Rs.47,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.37,000/- to till date.
3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 12 of 2010.
Dated: 19.01.2010
To
Mr. Mezhar Ali son of Abdul Majeed
r/o: House 6001/1, Mohalla Aqsa Colony,
Shahdadpur Town.
FOR :

1). Zulfiqar Ali son of Khadim Hussain Zardari,


r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 26.08-.2008,
for plot bearing No.C- 222, measuring 1080 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. hence the total
value of the plot became Rs.1,29,600/-, from which you paid Rs.10,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.
2). That you have paid Rs.32,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.10,000/- to till date.
3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 11 of 2010.
Dated: 19.01.2010
To

Mr. Mezhar Ali son of Abdul Majeed


r/o: House 6001/1, Mohalla Aqsa Colony,
Shahdadpur Town, Taluka Shahdadpur,
District Sanghar.

FOR :

1). Zulfiqar Ali son of Khadim Hussain Zardari,


r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my above named clients, I place this legal notice in your hands as
under:-
P/2…

P/2…
1). That my clients named above entered into sale agreement with you vide booking date 26.08-.2008,
for plot bearing No.C- 221, measuring 1080 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. hence the total
value of the plot became Rs.1,29,600/-, from which you paid Rs.10,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.

2). That you have paid Rs.32,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.10,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 10 of 2010.
Dated: 19.01.2010

To

Mr. Mushtaq Ali Thaheem S/O Umed Ali Thaheem ,


r/o: Landhi, P.O Dehro, Taluka Tando Adam
Taluka Shahdadpur.
FOR :

1). Zulfiqar Ali son of Khadim Hussain Zardari,


r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my above named clients, I place this legal notice in your hands as
under:-
P/2…

P/2…
1). That my clients named above entered into sale agreement with you vide booking date 19.04-.2008,
for plot bearing No.B- 113, measuring 1080 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.150/- per sq. ft. hence the total
value of the plot became Rs.1,62,000/-, from which you paid Rs.10,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.

2). That you have paid Rs.56,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.28,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 09 of 2010.
Dated: 19.01.2010
To

Mr. Umeo S/O Gulumal ,


r/o: Village Khabar Ghahu, P.O Muldaisi,
Taluka Shahdadpur.
FOR :

1). Zulfiqar Ali son of Khadim Hussain Zardari,


r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 13.12.2008,
for plot bearing No.C- 149, measuring 1080 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. hence the total
value of the plot became Rs.1,29,600/-, from which you paid Rs.10,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.
P/2…
P/2…
2). That you have paid Rs.22,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.17,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 08 of 2010.
Dated: 13.01.2010

To

Mr. Fakhur-u-Din son of Muhammad Usman,


r/o: near Water Supply road Mohalla Bashirabad Thull,
District Jacbabad.

FOR :

1). Zulfiqar Ali son of Khadim Hussain Zardari,


r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my above named clients, I place this legal notice in your hands as
under:-
P/2…

P/2…
1). That my clients named above entered into sale agreement with you vide booking date 14.01-.2008,
for plot bearing No.B- 77, measuring 1320 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D, 813/4-
B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road Shahdadpur,
Taluka Shahdadpur, District Sanghar, on the rate of Rs.150/- per sq. ft. hence the total value of the
plot became Rs.1,98,000/-, from which you paid Rs.15,000/- as an advance and rest amount was to
be paid monthly installments as well as six monthly installments.

2). That you have paid Rs.59,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.36,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 07 of 2010.
Dated: 13.01.2010

To

Mr. Fakhur-u-Din son of Muhammad Usman,


r/o: near Water Supply road Mohalla Bashirabad Thull,
District Jacbabad.

FOR :

1). Zulfiqar Ali son of Khadim Hussain Zardari,


r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my above named clients, I place this legal notice in your hands as
under:-

P/2…
1). That my clients named above entered into sale agreement with you vide booking date 10.01-.2008,
for plot bearing No.B- 76, measuring 1320 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D, 813/4-
B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road Shahdadpur,
Taluka Shahdadpur, District Sanghar, on the rate of Rs.150/- per sq. ft. hence the total value of the
plot became Rs.1,98,000/-, from which you paid Rs.15,000/- as an advance and rest amount was to
be paid monthly installments as well as six monthly installments.

2). That you have paid Rs.59,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.36,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
NO: MLC/L.N/- 06 of 2010.
Dated: 13.01.2010

To

Mr. Zeeshan Atta Memon son of Atta Muhammad Memon Imam Din,
r/o: 9, North Street House No. C 192,
Mohalla, Gulstan-e- Sajjad, Qasimabad,
District Hyderabad
FOR :

1). Zulfiqar Ali son of Khadim Hussain Zardari,


r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my above named clients, I place this legal notice in your hands as
under:-
P/2…
P/2…
1). That my clients named above entered into sale agreement with you vide booking date 27.01.2008,
for plot bearing No.A 43, measuring 1320 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D, 813/4-
B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road Shahdadpur,
Taluka Shahdadpur, District Sanghar, on the rate of Rs.200/- per sq. ft. hence the total value of the
plot became Rs.2,64,000/-, from which you paid Rs.15,000/- as an advance and rest amount was to
be paid monthly installments as well as six monthly installments.

2). That you have paid Rs.71,000/- in total, but did not pay the amount as per sale agreement and you
have made your self defaulter of Rs.46,500/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.
(AMEER ALI MAHESSAR)
ADVOCATE
NO: MLC/L.N/- 05 of 2010.
Dated: 11.01.2010

To

Mr. Zeesha Atta, Memonson of Atta Muhammad Mermon Imam Din,


r/o: 9, North Street House No. C 192,
Mohalla, Gulstan-e- Sajjad, Qasimabad,
District Hyderabad
FOR :

1). Zulfiqar Ali son of Khadim Hussain Zardari,


r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 15.12-.2007,
for plot bearing No.A 43, measuring 1320 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D, 813/4-
B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road Shahdadpur,
Taluka Shahdadpur, District Sanghar, on the rate of Rs.200/- per sq. ft. , hence the total value of the
plot became Rs.2,64,000/-, from which you paid Rs.15,000/- as an advance and rest amount was to
be paid monthly installments as well as six monthly installments.
P/2

P/2…
2). That you have paid Rs.71,000/- in total and your last monthly payment received to my clients is on
16.11.2009, but later on you have neither paid monthly installments nor six monthly installments and
made your self defaulter of Rs.20,848/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE

NO: MLC/L.N/- 04 of 2010.


Dated: 04.01.2010

To

Mr. Ikramuddin son of Imam Din,


r/o: Muhalla Aqsa Colony, Hala Road, Shahdadpur,
Taluka Shahdadpur, District Sanghar.
FOR :

1). Zulfiqar Ali son of Khadim Hussain Zardari,


r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 03.05-.2006,
for plot bearing No.C 220, measuring1080 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D, 813/4-
B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road Shahdadpur,
Taluka Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. , hence the total value of the
plot became Rs.1,29,600/-, from which you paid Rs.10,000/- as an advance and rest amount was to
be paid monthly installments as well as six monthly installments.
P/2

P/2…

2). That you have paid Rs.36,500/- in total and your last monthly payment received to my clients is on
16.11.2009, but later on you have neither paid monthly installments nor six monthly installments and
made your self defaulter of Rs.20,848/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 03 of 2010.
Dated: 04.01.2010

To

Mr. Abudl Rasheed son of Taj Muhammad,


r/o: Village Muhammad Suleman Rajput, Post Offcie Jam Nawaz Ali,
Taluka Jam Nawaz Ali, District Sanghar.
FOR :

1). Zulfiqar Ali son of Khadim Hussain Zardari,


r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 23.11-.2007,
for plot bearing No.C 155, measuring1125 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D, 813/4-
B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road Shahdadpur,
Taluka Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. , hence the total value of the
plot became Rs.1,35,000/-, from which you paid Rs.10,000/- as an advance and rest amount was to
be paid monthly installments as well as six monthly installments.
P/2
P/2…
2). That you have paid Rs.44,000/- in total and your last monthly payment received to my clients is on
29.08.2009, but later on you have neither paid monthly installments nor six monthly installments and
made your self defaulter of Rs.22000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE

NO: MLC/L.N/- 02 of 2010.


Dated: 04.01.2010
To

Mr. Sanaullah son of Attaullah,


r/o: House No. 38, Mohalla Muhajir Colony, Shahdadpur,
Taluka Shahdadpur, District Sanghar.
FOR :

1). Zulfiqar Ali son of Khadim Hussain Zardari,


r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 18.09-.2008,
for plots bearing No.C 228, measuring1000 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. , hence the total
value of the plot became Rs.1,20,000/-, from which you paid Rs.10,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.
P/2

P/2…

2). That you have paid Rs.24,500/- in total and your last monthly payment received to my clients is on
02.06.2009, but later on you have neither paid monthly installments nor six monthly installments and
made your self defaulter of Rs.13,500/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE

NO: MLC/L.N/- 01 of 2009.


Dated: 04.01.2010

To

Mr. Ghansham Das son of Gobind Ram,


r/o: House No. 1144 Mohalla Sawai Road Shahdadpur,
Taluka Shahdadpur, District Sanghar.
FOR :

1). Zulfiqar Ali son of Khadim Hussain Zardari,


r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide booking date 04.10-.2008,
for plots bearing No.C 240, measuring 800 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. , hence the total
value of the plot became Rs.96000/-, from which you paid Rs.10,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.
P/2
P/2…

2). That you have paid Rs.23,000/- in total and your last monthly payment received to my clients is on
01.12.2009, but later on you have neither paid monthly installments nor six monthly installments and
made your self defaulter of Rs.17,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 35 of 2009.
Dated:11.12.2009

To

Mr. Liaquat Ali son of Muhammad Rafique,


r/o: Mohalla Drig Road, COD ,
Karachi, District East Karachi.

FOR :

1). Zulfiqar Ali son of Khadim Hussain Zardari,


r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you vide book date 06.11.2007, for
plots bearing No.106 and 107, measuring 1125+1080= 2005 Sq. Ft. formed out of S.No.813/3, 812/3-
B, 813/4-D, 813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala
Road Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.150/- per sq. ft. , hence
the total value of the plot became Rs.3,30,750/-, from which you paid Rs.20,000/- as an advance and
rest amount was to be paid monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.1,06,000/- in total and your last monthly payment received to my clients is on
14.05.2009, but later on you have neither paid monthly installments nor six monthly installments and
made your self defaulter of Rs.74,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plots.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plots you have purchased within seven days , otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plots aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 34 of 2009.
Dated:11.12.2009

To

Mr. Liaquat Ali son of Muhammad Tufail,


r/o: Aqsa Colony, Shahdadpur,
Taluka Shahdadpur, District Sanghar.

FOR :

1). Zulfiqar Ali son of Khadim Hussain Zardari,


r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.\

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you on 20.05.2008, for plot bearing
No. C-140, measuring 1080 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D, 813/4-B,C, 822/2,
822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road Shahdadpur, Taluka
Shahdadpur, District Sanghar, on the rate of Rs.120/- per sq. ft. , hence the total value of the plot
became Rs.1,29,600/-, from which you paid Rs.10,000/- as an advance and rest amount was to be
paid monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.31,500/- in total and your last monthly payment received to my clients is on
11.07.2009, but later on you have neither paid monthly installments nor six monthly installments and
made your self defaulter of Rs.21,500/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and thereafter you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 33 of 2009.
Dated:11.12.2009

To

Mst. Zubeda W/O Muhammad Younis


r/o: Model Colony, near Maryam School,
Line Par, Nawabshah

FOR :

1). Zulfiqar Ali son of Khadim Hussain Zardari,


r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.\

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you on 15.07.2008, for plot bearing
No. B-123, measuring 1080 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D, 813/4-B,C, 822/2,
822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road Shahdadpur, Taluka
Shahdadpur, District Sanghar, on the rate of Rs.150/- per sq. ft. , hence the total value of the plot
became Rs.1,62,000/-, from which you paid Rs.10,000/- as an advance and rest amount was to be
paid monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.23,000/- in total and your last monthly payment received to my clients is on
20.09.2009, but later on you have neither paid monthly installments nor six monthly installments and
made your self defaulter of Rs.37,000/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plot.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plot you have purchased within seven days, otherwise the sale agreement shall be deemed to
have been cancelled by my clients and thereafter you shall have no claim towards the plot aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 32 of 2009.
Dated:11.12.2009

To

Mr. Shakeel Ahmed son of Muhammad Idress


r/o: Village Kafla, Post Office Ghulam Ali Punjabi,
Taluka Matli, District Badin.

FOR :

1). Zulfiqar Ali son of Khadim Hussain Zardari,


r/o: Village Khadim Hussain Zardari,
Taluka Shahdadpur.

2). Dharam Das alias Wakeel son of Kalu Mal


r/o: Lohana , Sawai Road, Shahdadpur.

3). Shahid Ali son of Muhammad Yaseen Khan Malak,


r/o: Ashraf Colony, Nawabshah.\

4). Muhammad Sajid son of Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my above named clients, I place this legal notice in your hands as
under:-

1). That my clients named above entered into sale agreement with you on 04.07.2008, for plots bearing
No.B-214-215, measuring 1080 X 2= 2160 Sq. Ft. formed out of S.No.813/3, 812/3-B, 813/4-D,
813/4-B,C, 822/2, 822/1, situated in Deh Shahdadpur, Al-Shahbaz Garden City, Hala Road
Shahdadpur, Taluka Shahdadpur, District Sanghar, on the rate of Rs.150/- per sq. ft. , hence the total
value of the plot became Rs.3,24,000/-, from which you paid Rs.26,000/- as an advance and rest
amount was to be paid monthly installments as well as six monthly installments.
P/2…
P/2…

2). That you have paid Rs.88,000/- in total and your last monthly payment received to my clients is on
09.08.2009, but later on you have neither paid monthly installments nor six monthly installments and
made your self defaulter of Rs.23,144/- to till date.

3). That you have not fulfilled the terms and conditions of the sale agreement, hence you have made
your self defaulter in payment of the plots.

You are therefore, hereby given this legal notice to make updated payment to my clients in
respect of the plots you have purchased within seven days , otherwise the sale agreement shall be deemed to
have been cancelled by my clients and there after you shall have no claim towards the plots aforesaid.

Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: L.N/- of 2009.
Dated:11.11.2009

To
Mr. Javed Iqbal Arain S/O Manzoor Ahmed Arain,
Nazim, Union Council No.6, Taj Colony,
Nawabshah

FOR :
Mian Munawar Ali son of Late Mian Iftikhar Ahmed
r/o: Taj Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named client I place this legal notice in
your hands as under:-

1). That you entered into Rent Agreement with my client on 25 th November, 2005, for
premises consisting of four rooms, Verandah and courtyard, situated in Taj
Colony, Nawabshah at the monthly rent of Rs.4000/-.

2). That the tenancy was commenced from 01.12.2005 and came to an end on
01.12.2007 and my client approached you for vacating the rented premises but you
one or other pretext kept my client on hopes that you were in the search of an other
premises, therefore, some time was required for vacating the same.

3). That since the repeated approaches of my client you have not vacated the same ,
as per the rent agreement mentioned above, hence you are required to vacate the
premises within 15 days , after receiving this notice, otherwise my client shall be at
liberty to resort to legal remedies for ejectment of the rented premises in
accordance with law, on your own risk and cost.

Please note.
(RASOOL BUX LARA)
ADVOCATE
NO: MLC/L.N/- 31 of 2009.
Dated:11.11.2009

To
Mr. Rasool Bux son of Muhammad Azam Magsi Baloch,
adult, muslim, r/o: Village Haji Ghulam Nabi,
near Housing Society, Nawabshah.
FOR :
Muhammad Sajid son of Abdul Ghaffar Malak,
r/o: Rehmatullah Colony, near Village Sanghta Singh,
Line Par, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my above named client I place this legal notice in your hand as under:-

1). That you entered into sale agreement dated: 16.03.2009, with my client for the sale of agricultural
land measuring 00-09 acres (09 Ghuntas), situated in Deh 50 Dad, Taluka Nawabshah, District Shaheed
Benazir Abad, in the sum of Rs.85,000/- per Ghunta, in total Rs.7,65,000/- and my client paid as advance
Rs.1,20,000/- the detail of which is Rs.45,000/- in cash and Rs.75,000/- in the shape cheque bearing No.
5761850, dated: 17.03.2009, drawn on Bank Al-Habib Limited Masjid Road, Nawabshah at the time of said
sale agreement, while the rest amount Rs.1,00,000/- was paid by my client to you on 12.04.2009, Rs.60,000/-
on 05.08.2009, Rs.5000/- on 02.06.2009, a cheque of Rs.10,000/- bearing No.3537418, dated: 20.07.2009,
Rs.5,000/- in cash on 20.07.2009, Rs.15,000/- on 20.09.2009 and Rs.55,000/- on 05.10.2009, duly
acknowledged by you.

2). That my client is willing and ready to perform his part of contract but you have been avoiding to do so
on one or other pretext without any lawful justification.

You are therefore, given this legal notice to get the registered sale deed executed in favour of
my client within 15 days by obtaining the remaining amount which my client is ready to pay you before Sub-
Registrar, Nawabshah, otherwise my client shall be at liberty to resort for legal remedy / relief available to
him, in accordance with law on your own risk and costs.
Please note.

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 30 of 2009.
Dated:08.11.2009

To

Mr. Shah Nawaz S/O Muhammad Azam Baloch,


r/o: Village Haji Ghulam Nabi, near Housing
Society, Nawabshah.

FOR :
Muhammad Sajid son of Abdul Ghaffar Malak,
r/o: Rehmatullah Colony, near Village Sanghta Singh,
Line Par, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my above named client I place this legal notice in


your hand as under:-
1). That you entered into sale agreements dated: 17.03.2009 and 28.03.2009 with my
client for the sale of agricultural land measuring 00-05 acres (05 Ghuntas) in the sum of
Rs.85,000/- per Ghunta, in total Rs.4,25,000/-, situated in Deh 50 Dad, Taluka
Nawabshah, District Shaheed Benazir Abad. My client paid Rs.1,22,000/- at the time of
sale agreement and rest of the amount was to be paid later on and an area of 00-04 acres
(04 Ghuntas) situated in Deh 50 Dad, Taluka Nawabshah, District Shaheed Benazir Abad,
in the sum of Rs.85,000/- per Ghunta and in total Rs.3,40,000/- and my client paid
Rs.1,00,000/- at the time of said sale agreement, while the rest amount for both the
agreements was to be paid later on, hence my client paid Rs.1,00,000/- on 01.09.2009,
Rs.55,000/-, on 06.04.2009, Rs.1,00,000/- on 24.10.2009, Rs.20,000/- on 19.09.2009 and
Rs.10000/- on 05.10.2009, duly acknowledged by you.
P/2…

P/2…
2). That my client is willing and ready to perform his part of contract but you have
been avoiding to do so on one or other pretext without any lawful justification.

You are therefore, given this legal notice to get the registered sale deed
executed in favour of my client by obtaining the remaining amount which my client is
ready to pay you before Sub-Registrar, Nawabshah, otherwise my client shall be at liberty
to resort for legal remedy / relief available to him, in accordance with law on your own
risk and costs.

Please note.

(AMEER ALI MAHESSAR )


ADVOCATE
NO: MLC/L.N/- 29 of 2009.
Dated: 08.11.2009

To

Mr. Abdul Aziz Khokhar,


Advocate
18-A, Mezzanine Floor, Golwala Complex,
Nawabshah.

FOR
1). Mr. Shahid Ali Khan S/O Muhammad Yaseen Malak.
r/o: House No. 38, Ashraf Colony, Line Par,
Nawabshah.

2). Muhammad Sajid S/O Abdul Ghaffar Malak,


r/o: Rehmatullah Colony, near Sanghta Singh Goth,
Line Par, Nawabshah.

SUBJECT:- REPLY OF LEGAL NOTICE.

Reference: - Your legal Notice No. Nil, dated: 30/31.10.2009

Dear Sir,
Received your legal notice referred above which is replied on behalf of my above
named clients, as under:-

1). That it is fact that there was an agreement taken place in between your client and
my clients as mentioned in your legal notice referred above in paragraph No.1
P/2…

P/2…

2). That after the agreement dated: 11.08.2007, was taken place your client has
obtained not only the principal amount but also has been taking the profit every month and more
money showing his urgent need by asking that the amount be adjusted in future profit, in total
your client has received about Rs.5,39,000/-, vide receipts/vouchers No.1192, 1187, 1154, 987, 917,
914, 847, 836, 767, 741, 689, 654, 605, 571, 529, 594 and 309, on which there are signatures of your
client but this fact has been screened by your client with you and has stated false facts to you
which can not be appreciated.

3). That your client now wants to blackmail and to extort more money than agreed from my
clients and is trying to drag my clients in litigation.

Therefore, you are requested to advise your client not to initiate any proceedings
otherwise my client shall be at liberty to defend the same and to get the partnership agreement
cancelled in due process of law, as your client’s has obtained excess amount and notice sent on his
behalf may be vacated.

Thanking you.

Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 28 of 2009.
Dated:10.09.2009

To

Mr. Hassan Ali Memon,


Regional Retail Head,
Main National Bank of Pakistan,
Jinnah Road, Hyderabad.

FOR :
Ayaz Ahmed son of Taj Muhammad Rajper,
r/o: House No.B-55, Housing Society, N.Shah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my above named client I place this legal notice as


under:-

1). That I came to know through publication published in Daily Kawish , Hyderabad,
that there was an auction held by National Bank of Pakistan , Main Branch, Jinnah
Road, Hyderabad, for Auto Rikhshaws .
P/2…

P/2…
2). That my client as per publication deposited an amount of Rs.20,000/-, as security
deposit.

3). That my client prior to auction visited the Atuo Rakhshaws parked in workshop
on Hally Road Hyderabad.

4). That my client auctioned for three Rakhshaws bearing Nos. G-677531, G-67954,
and G-67852 and succeeded to make highest bid.

5). That after the auction was over you and Mr. Mashori offered my client to purchase
an other Rakhshaw bearing No.G-67697, in the sum of Rs.35,000/- as there was no
bid held on that Rakhshaw, to which my client was agreed and was written to have
been purchased by my client.

6). That however, an other Rakhshaw Super Power bearing Reg: No. G-68140, was not
shown to have been available in the Bid but suddenly that was brought out after
the Bid was over, to which my client also shown his choice to purchase the same,
as he was interested and asked my client to deposit the amount of Rs.72,000/- for
the Auto Raskhshaws bearing Reg: No.G-68140 and G-67731, while the amount of
Rs.5000/- and Rs.2000/- as well as cheque of Rs.65,000/- was obtained from my
client and issued receipts of Rs.65,000/- and Rs.2000/- while receipt of Rs.5000/-
was not issued.

7). That after repeated approaches, my client was asked to take the Rakhshaws from
the Workshop. The Rakhshaws bearing Nos. G-68140, G-67731 including the
Rakhshaws bearing No.G-67697, G-67954 and G-67852 were handed over to my
client and such receipts was obtained but when my client went to bring a Pick up
for taking the Rakhshaws and on his arrival you and your staff did not allow my
client to take away the Rakhshaws bearing No.G-68140 and G-67731, due to
controversy in between you and Tanveer Abbas , Regional Collection Manger.

8). That since two auto Rakhshaws aforesaid have not been handed over to my client ,
even the amount of the same has been received with duly acknowledgment and
my client was also kept on hope that in next Bid the Rakhsaws would be handed
over to him but of no avail.

P/3…
P/3…

Therefore, you are requested either hand over the Rakhshaws bearing No.G-
68140 and G-67731 to my client or return the amount of the said Rakhshaws duly received
by your good office or settle the matter with my client with in a fortnight , other wise my
client shall be at liberty to resort to legal remedy/relief available to him civil as well as
criminal in accordance with law on your own risk and costs.

Please take notice.

Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
CC to :

1). Governor, State Bank of Pakistan, at Karachi.


2). President , National Bank of Pakistan, Karachi
3). Business Chief, Main National Bank of Pakistan, Jinnah Road , Hyderabad.
4). Business Chief Credit, Main National Bank of Pakistan, Jinnah Road , Hyderabad
5). General Manager, Retail, Main National Bank of Pakistan, Jinnah Road , Hyderabad

Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 26 of 2009.
Dated:17.08.2009

To
The Managing Director,
Sindh Small Industries Corporation,
Karachi.
FOR
Mr. Tanveer Ahmed son of Muhammad Saleh Qureshi,
r/o: H# 60/1, Otaq Quarters,
Masjid Road, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On the instructions of my above named client I place this legal notice as under:-
1). That my client purchased plot N0. 5, on 14.02.1988, while participating in the auction and made the
payments and there is no any outstanding against him with regard to above plot.
2). That since my client has cleared all the dues and has been approaching the offices of Sindh Small
Industries Corporation at Nawabshah and Sukkur but he has been circling on one or other pretext.
3). That urged by the circumstances my client moved applications, so that plot might be mutated in
his name after execution of sale deed in his favour, whereby he received letter NO.DEV-IND-524/2009,
Govt. of Sindh, Industries and Commerce Department, Karachi, dated: 16.06.2009 and has also come to
know that office of Sindh Small Industries Corporation Nawabshah vide letter No.SSIC/ SIE/ D.C/
N.Shah/ 2009/ 659, dated: 09.07.2009, has stated that the plot in question may be allotted to my client as the
payment is shown clear vide OR dated: 1423 to the Director SSIC, Sukkur Region Sukkur.
4). That copy of application moved by my client and reply by Assistant Director (DEV-II) for Secretary
to Govt. of Sindh, dated: 16th June, 2009, are attached herewith for kind perusal and redressal of grievance of
my client on priority basis , keeping in view the delay occurred not on the part of my client.
5). That hopefully the matter of my client may be solved as soon as possible to avoid any further
inconvenience to him.
Thanks.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
Copy to Director, SSIC, Sukkur Region, Sukkur.
NO: MLC/L.N/- 25 of 2009.
Dated: 29.07.2009

To

Mr. Muhammad Yasir son of Nisar Ahmed Memon,


r/o: near Konica Lab, Mohni Bazaar,
Nawabshah

FOR
Mr. Asif Mehmood son of Mushtgaq Ahmed
r/o: Ghulam Hyder Shah Colony,
Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my client named above, the legal notice is issued as under:-
1). That there was a business of medicine being run by you and my client on profit and loss
basis, in the year 2005.
2). That while marketing, the amount remained outstanding against Medical Representatives
and various Medical Stores , which could not be recovered due to winding up of the business ,
hence loss was sustained in the business and from that fact you were very much aware.
3). That when the business was wound up the accounts in between you and my client were
settled and there was no any outstanding amount against each other
4). That now you have been pressurizing my client illegally and unauthorizedly to extort
some amount on one or other affectation.
5). That since according to my client there is no any amount out standing of you and vice
versa, hence the action on your part is unwarranted.

However, you are hereby given this legal notice not to pressurize illegally my
client through police / politically persons and if you feel aggrieved then you may adopt legal
remedies which is nothing but Civil Court to avoid any other complication, otherwise my client
shall be at liberty to move for availing legal remedies/relief from the competent court of law on
your own risks and costs.
Please note.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 24 of 2009.
Dated: 28.07.2009

To

Mr. Abid Hussain Tanwri,


Assistant Manager,
NADRA, Shaheed Benazir Abad.

FOR
Mr. Asad Ali Memon S/O Late Allah Dino Memon,
r/o: Moni Bazaar Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,

On the instructions of my client named above , the legal notice is issued as under :-

1). That Mrs. Farhana Asad W/O Asad Ali Memon, D/O Sadaruddin Shaikh is still legally
weeded wife of my client and there is dispute in between them over the guardian ship of
minor children, which is pending litigation .

2). That recently my client has come to know that his wife Mrs. Farahana Asad by producing
some fake Photostat copies with your office and changed her name as well as she has got
removed the name of my client as his husband in recently issued CNIC.

3). That neither any divorce has taken place in between my client and Mrs. Farhana Asad nor
my client intend to do so, but how your office has changed the CNIC without proper
verification of original documents i.e. divorced deed, court order etc has changed the
description of the wife of my client.
P/2…
P/2…
4). That by act of your office my client has been puzzled and has sustained mental torture as
due to this act there may be loss to my client in relation to his children.

You are therefore, requested to undo the act played by Mrs. Farhana Asad in
collusion with some officials of your office and restore the previous position of CNIC of the wife
of my client to avoid any complication in future and if possible the names of involved persons
may be communicated to my client for availing legal remedy.

My client shall wait for your reply within 07 days otherwise he shall be at liberty to
avail legal remedy / relief in accordance with law.

Please note.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE

Copy submitted to respectable Colonel Khalid Sahib, G.M, NADRA , RHQ Sukkur,
Regional Head Quarters , Sukkur, for favour of information.

Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 21 of 2009.
Dated: 14.07.2009
To

Mr. Abdul Hameed S/O


Muhammad Hajan Panhwer,
r/o: House No.49, Street No.2,
Near GAP School, Taj Colony,
Nawabshah.

FOR
Mst. Shabnam D/O Ghulam Hyder Mahessar,
r/o: Taj Colony, Nawabshah.

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On behalf of my client named above I place this legal notice into your hands as
under:-

1). That you entered into an agreement on 06.01.2009, for sale of plot bearing No.383,
formed out of S.No.116, 117 and 119 measuring 1080 Sq. Ft. situated in Deh 25 Dad, Muhammad
Ali Housing Society, Nawabshah, in the sum of Rs.1,30,000/-

2). That you received Rs.50,000/- at the time of sale agreement and on stipulated date you
received rest Rs.80,000/- and kept my client on hopes that within a week you will get the
registered sale deed executed in favour of my client.
P/2…
P/2…

3). That my client approached you time and again so that registered sale deed ;may be
executed in favour of my client, but of no avail, which created doubt in the mind of my client ,
who enquired from the relevant department in respect of the plot, whereon my client came to
know that neither the plot was entered into your name in the Revenue Record of Rights nor you
have got any other document showing the authority to dispose of the plot.

4). That you at the time of sale agreement assured my client that there was also an agreement
in respect of plot aforesaid and you would get the same transferred in the name of my client very
soon.

5). That from the act and conduct on your part it is transpired that you have intentionally
deliberately defrauded and cheated my client to usurp her valuable consideration.

You are therefore, given this legal notice to settle the matter with my client within a
week otherwise my client shall be at liberty to file Criminal as well as Civil cases against you in
accordance with law on your own risk and costs.

Please note.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 20 of 2009.
Dated: 04.07.2009
To
Mr. Mohammad Hashim,
S/o Mohammad Qasim, Sheikh
Proprietor Shop, No. A/651,
Market Road No, 2 Nawabshah.
FOR
Mst. Irshad Begum Wd/o Late Nazeer Hussain Kazmi,
R/o: Mohallah Gharibabad,
Near, Market Road, Nawabshah..

SUBJECT: - LEGAL NOTICE.

Dear Sir,
On behalf of my client named above I place this legal notice into your hands as
under:-

1). That my client is owner/ landlord of shop bearing C.S. No. A/651, situated at market road
No. 2 Nawabshah, on which you are tenant and that fact has also been mentioned in Third Class
Suit No. 14 of 2009, filed by you in the Court of 1 st Senior Civil Judge, Nawabshah for adopting
due course of law to eject you form the shop aforesaid by my client / landlord.

2). That since my client is widow and the shop in question is required to her for personal
bonafide use.

3). That you are given this legal notice to deliver vacant possession of the shop in question to
my client within two months, otherwise my client shall be at liberty to resort to legal remedies
available with her in accordance with law on your own risk and cost.
Please note.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 19 of 2009.
Dated:
30.06.2009
To
Mr. Naraish Kumar,
Assistant Professor,
Electrical Department
QUEST , Nawabshah.

FOR
Mr. Asad Ali son of Late Allah Dino Memon,
r/o: House NO.145/B, Mohni Bazar, Nawabshah.

SUBJECT:- LEGAL NOTICE.

Dear Sir,

On behalf of my client named above I place this legal notice into your
hands as under:-
P/2…

P/2…
1). That Mrs. Farhana Asad D/O Sadaruddin Shaikh is legally weeded wife of my
client.
2). That there is a dispute over the guardianship of children is pending in the court of
law in between my client and Mrs. Farhana Asad.

3). That during the pendency of the said suit my clinet came to know that his wife
namely Mrs. Farhana Asad has changed the description of CNIC by disappearing the
name of my client with her name on your attestation, that she had been divorced, on the
contrary neither any divorce has taken place nor any such document is in existing.

4). That according to my client your authority for the purpose of attestation has been
misused, whereby my client has sustained mental torture.

5). That your this act has disturbed not only my client but also his other family
members and my client apprehend that by doing such act on your part, his wife namely
Mrs. Farhana Asad may take away his children abroad.

You are therefore, given this legal notice that you may re-call the attestation made
by you to NADRA so that previous position of the wife of my client with regard to CNIC
may be restored and settled the matter with my client within seven days, otherwise my
client shall be at liberty to resort to legal remedies including Civil as well Criminal on

your own risk and costs.

Please note.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 18 of 2009.
Dated:
5.05.2009
To
Mr. Hajan son of Muhammad Hussain
Khaskheli r/o: House No. 181/122/A,
Model Colony Nawabshah.
FOR
Mr. Javed Ahmed son of Rab Nawaz Khaskheli,
r/o: Village Sulleman Khaskheli,
Taluka Daur, District Shaheed Benazir Abad.

SUBJECT:- LEGAL NOTICE.

Dear Sir,

On behalf of my client named above I place this legal notice into your
hands as under:-

1). That my client entered into an agreement for sale of house bearing No.706,
situated in Peela Camp , near Sanghar Bus stand Nawabshah on 18.03.2009, vide stamp
paper No.3993, dated: 18.03.2009, in the sum of Rs.7,00,000/- .

2). That you received Rs.2,00,000/- from my client from the sale consideration
aforesaid which has been acknowledged by you in the agreement itself.

3). That remaining amount was agreed to be paid as under:-

(a). Rs.1,00,000/- on 25.04.2009


(b). Rs. 4,00,000/- on 20.11.2009.

P/2…
P/2…

4). That on 25.04.2009 my client approached you at your house and offered you
Rs.1,00,000/- as per terms and conditions of the agreement but due to enhancement in
the rate of the house as per market value you avoided to take the payment from my client.

5). That my client is willing and ready not only to pay you Rs.1,00,000/- as per the
terms and conditions of the agreement but also Rs.4,00,000/- on 20.11.2009.

You are therefore, required to obtain Rs.1,00,000/- as per terms and conditions of
agreement from my client as per the mode you chose such as either in cash or through a
cheque etc against valid receipt, otherwise my client shall be at liberty to avail legal

remedies available with him in accordance with law.

Please note.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 17 of
2009.
Dated:
15.02.2009
To
Mr. Kamran Abdul Shakoor S/O
Haji Abdul Ghafoor,
r/o: Shop No.20,21 & 22
Madina Market Nawabshah.

FOR
Mst. Zahida Haroon Wd/O Muhammad Haroon
r/o: 1-A/429, Mohalla Gharibabad, Market Road
Nawabshah.

SUBJECT:- LEGAL NOTICE.

Dear Sir,
On behalf of my client named above I place this legal notice into your
hands as under:-

1). That bearing legal notice bearing MLC/L.N/-06 of 2009, dated: 15.02.2009 was sent to
you with regard to transfer of ownership and in response a reply dated: 06.03.2009
was received attorning the ownership of my client on your behalf.

2). That after the passage of more than two months neither have you entered into
agreement nor paid any rent, hence you have made yourself defaulter.

3). That now the shop in question is required to my client for her personal bonafide
use.

4). That since my client is widow hence the same is required to her for her personal
bonafide use, therefore, you are advised to handover the vacant possession of the
shop in question to my client within two months, otherwise my client shall at liberty
to file ejectment application on your own risk and costs.
Please note.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 16 2009.
Dated: 21.02.2009
To
Mr.Muhammad Ashique son of
Nabu Khan Khoja, Shopkeeper,
Shop No. 19, Madina Market
Nawabshah.

2nd. Address:
Babu Khoja General Store,
Shop No.7,
Laiquat Market Nawabshah.

3rd. Address:
House No.1523, Ajmairy Chouk
Near Kazim Shah House,
Gharisbabad, Nawabshah.

FOR
Mst. Zahida Haroon Wd/O Muhammad Haroon
r/o: H # 429, Mohalla Gharibabad, Market Road
Nawabsah.

SUBJECT:- LEGAL NOTICE.

Dear Sir,
Under the instructions of my above named client I place this legal notice into
your hands as under:-
1). That a legal notice bearing No.MLC/L.N/-7 of 2009, dated: 15.02.2009 under
section 18 of SRPO, 1979, was sent to you, but the same could not be served on you.
P/2…
2). That an other notice bearing No.MLC/L.N/-12 of 2009 , dated: 21.2.2009 was sent
to you on your three addresses as mentioned aforesaid reiterating the facts mentioned in
previous notice, which was reached to you in normal course of time.

3). That in response to my legal notice mentioned in Para No.2 of this notice you
replied through your advocate vide letter NO.LN/-08/09, of 28.02.2009, requiring the title
documents in the name of my client.

4). That in reply of the letter mentioned in Para No.3, I sent Photostat copy of title
documents in the name of my client ,vide my letter bearing No.MLC/L.N/-14 of 2009,
dated: 24.03.2009.

5). That in response to the title documents placed in your hands you have intentionally
and deliberately avoided vide reply on your behalf bearing reference NO.LN/08/09, dated:
09.04.2009, to either enter into the agreement for rent or to pay the rent to my client and
made yourself defaulter in payment of the rent.

6). That since the first legal notice was sent to you on 15.02.2009 and another notice
dated: 21.02.2009 was received by you on 25.02.2009, therefore, after the passage of
about two months neither you have paid the rent to my client nor have entered into fresh
agreement and made yourself defaulter and liable to be ejected from the shop.

7). That the shop in question is required to my client for her personal bonafide use.

8). That besides default and personal bonafide need my client is widow, hence you
are given this notice to deliver the vacant possession of the shop within two months,
otherwise my client shall avail legal remedy to eject you from the shop in question.
Please note.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 15 of 2009.
Dated:07.04.2009
To
1). City Survey Officer,
Nawabshah.

2). Sub-Registrar,
Nawabshah.

3). Micro Photograph Registrar,


Shahbaz Building Hyderabad.

SUBJECT:- INTIMATION WITH REGARD TO INJUNCTION ORDER


DATED: , PASSED BY LEARNED IST. SENIOR CIVIL JUDGE,
NAWABSHAH, IN F.C. SUIT NO. 95 OF 2009.

Dear Sir,
With all respects, it is informed to your kind honour that interim injunction order
has been passed by learned 1st. Senior Civil Judge, Nawabshah with regard to Plot / House # 1-A-
3, admeasuring 9000 sq. ft. situated in City Survey No. 2346, Ward “A” Govt. Employees
Cooperative Housing Society, Nawabshah, restraining transfer, alienation , mortgaging ,
encumbering, selling, leasing or renting out the same.

Therefore, with humble request you are informed by submitting the copy of the
same to avoid from any transfer, alienation, mutation and encumbering in the disregards of the
orders aforesaid.
Thanking you.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- 14 of 2009.
Dated:24.03.2009
To
Mr. Muhammad Jameel Choudry,
Barrister at Law
Opposite Police Welfare Shopping Center,
Court Road, Nawabshah.

FOR
Mst. Zahida Haroon Wd/O Muhammad Haroon
r/o: 1-A/429, Mohalla Gharibabad, Market Road
Nawabshah.

SUBJECT:- LEGAL NOTICE.

Reference :- Your Letter bearing No.LN/08/09, 28th February, 2009

Respected Sir,

Received your letter referred above in which the title documents through
which my client has acquired the title to the shop in question has been sought for,
therefore, in compliance thereof I hereby send the Photostat copy of Extract from the
Property Register Card in the name of my client dated: 20.07.2006, as previously the
same was in the name of husband of my client.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
Copy to :
Mr.Muhammad Ashique son of
Nabu Khan Khoja, Shopkeeper,
Shop No. 19, Madina Market
Nawabshah.
NO: MLC/L.N/- of 2009.
Dated: 21.02.2009
To

Mr.Muhammad Ashique son of


Nabu Khan Khoja, Shopkeeper,
Shop No. 19, Madina Market
Nawabshah.

2nd. Address:
Babu Khoja General Store,
Shop No.7,
Laiquat Market Nawabshah.

3rd. Address:
House No.1523, Ajmairy Chouk
Near Kazim Shah House,
Gharisbabad, Nawabshah.

FOR
Mst. Zahida Haroon Wd/O Muhammad Haroon
r/o: H # 429, Mohalla Gharibabad, Market Road
Nawabsah.

SUBJECT:- LEGAL NOTICE.

Dear Sir,
With reference to my earlier legal notice bearing No.MLC/L.N/-7 of 2009,
dated: 15.02.2009, I again place this legal notice in your hand as under:
P/2…

P/2…
1) That the legal notice aforementioned was sent to you but the same could not be
served on you on the address of shop No. 19, Madina Market Nawabshah, hence
you are again sent the legal notice on your House as well as other shop in Liaquat
Market Nawabshah.

2). That my client is owner of Shop No. 19 constructed on C.S No.940, Ward “B”
Madina Market Nawabshah by way of inheritance from her husband Muhammad
Haroon son of Din Muhammad Qureshi.

3). That previously the property was being dealt with and managed by the husband
and there after father in law of my client.

4). That now the property of husband of my client has been handed over along with all
the right and responsibilities to my client including the shop aforesaid in your
possession.

5). That since my client intimates about the transfer and wants to manage her property
by her own ways, therefore, if you want to remain tenant on the shop aforesaid,
then you have to enter into a fresh rent agreement with my client according to
market value within one month of issuing this notice, otherwise my client shall have
no option but to resort to for legal remedy for ejectment in accordance with law.

Please note.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- of 2009.
Dated: 17.02.2009
To
Mr. Muhammad Ayoob son of
Muhammad Ramzan Arain,
r/o: Shop No.32-A, Madina Market,
Nawabshah.

FOR
Muhammad Siddique son of
Din Muhammad Qureshi,
r/o: 1-A/429, Mohalla Gharibabad, Market Road
Nawabshah.

SUBJECT:- LEGAL NOTICE.

Dear Sir,
On behalf of my client named above I place this legal notice in your hands
as under:-

1). That my client is owner of Shop No. 32-A, constructed on C.S No.940, Ward “B”
Madina Market, Nawabshah and such entry has already been effected in his name
in the Record of Rights.
2). That previously the property was being dealt with and managed by the father of my
client.
3). That now the property has been handed over along with all the right and
responsibilities to my client including the shop aforesaid in your possession.
P/2…

P/2…
4). That since my client intimates about the transfer and wants to manage his property
by his own ways, therefore, if you want to remain tenant on the shop aforesaid,
then you have to enter into a fresh rent agreement with my client according to
market value within one month of issuing this notice, otherwise my client shall have
no other option but to resort to legal remedies available with him in accordance
with law.

Please note.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- of 2009.
Dated: 17.02.2009
To
Mr. Abdul Sattar son of
Jamal Din Qureshi,
r/o: Shop No.34, Madina Market,
Nawabshah.

FOR
Muhammad Siddique son of
Din Muhammad Qureshi,
r/o: 1-A/429, Mohalla Gharibabad, Market Road
Nawabshah.

SUBJECT:- LEGAL NOTICE.

Dear Sir,
On behalf of my client named above I place this legal notice in your hands
as under:-

1). That my client is owner of Shop No. 34 constructed on C.S No.940, Ward “B”
Madina Market, Nawabshah and such entry has already been effected in his name
in the Record of Rights.
2). That previously the property was being dealt with and managed by the father of my
client.
3). That now the property has been handed over along with all the right and
responsibilities to my client including the shop aforesaid in your possession.
P/2…

P/2…
4). That since my client intimates about the transfer and wants to manage his property
by his own ways, therefore, if you want to remain tenant on the shop aforesaid,
then you have to enter into a fresh rent agreement with my client according to
market value within one month of issuing this notice, otherwise my client shall have
no other option but to resort to legal remedies available with him in accordance
with law.

Please note.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- of 2009.
Dated: 17.02.2009
To
Mr. Muhammad Shafique son of
Habib Ahmed Khan ,
r/o: Shop No.A-33 & 33, Madina Market,
Nawabshah.

FOR
Muhammad Siddique son of
Din Muhammad Qureshi,
r/o: 1-A/429, Mohalla Gharibabad, Market Road
Nawabshah.

SUBJECT:- LEGAL NOTICE.

Dear Sir,
On behalf of my client named above I place this legal notice in your hands
as under:-

1). That my client is owner of Shop No. A-33 & 33 constructed on C.S No.940, Ward
“B” Madina Market, Nawabshah and such entry has already been effected in his
name in the Record of Rights.
2). That previously the property was being dealt with and managed by the father of my
client.
3). That now the property has been handed over along with all the right and
responsibilities to my client including the shop aforesaid in your possession.
P/2…
P/2…

4). That since my client intimates about the transfer and wants to manage his property
by his own ways, therefore, if you want to remain tenant on the shop aforesaid,
then you have to enter into a fresh rent agreement with my client according to
market value within one month of issuing this notice, otherwise my client shall have
no other option but to resort to legal remedies available with him in accordance
with law.

Please note.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- of 2009.
Dated: 17.02.2009
To
Mr. Usman Ghani son of
Ali Muhammad Qureshi,
r/o: Shop No.32, Madina Market,
Nawabshah.

FOR
Muhammad Siddique son of
Din Muhammad Qureshi,
r/o: 1-A/429, Mohalla Gharibabad, Market Road
Nawabshah.

SUBJECT:- LEGAL NOTICE.

Dear Sir,
On behalf of my client named above I place this legal notice in your hands
as under:-

1). That my client is owner of Shop No. 32 constructed on C.S No.940, Ward “B”
Madina Market, Nawabshah and such entry has already been effected in his name
in the Record of Rights.
2). That previously the property was being dealt with and managed by the father of my
client.
3). That now the property has been handed over along with all the right and
responsibilities to my client including the shop aforesaid in your possession.
P/2…
P/2…

4). That since my client intimates about the transfer and wants to manage his property
by his own ways, therefore, if you want to remain tenant on the shop aforesaid,
then you have to enter into a fresh rent agreement with my client according to
market value within one month of issuing this notice, otherwise my client shall have
no other option but to resort to legal remedies available with him in accordance
with law.

Please note.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- of 2009.
Dated: 15.02.2009
To

Mr.Muhammad Ashique son of


Nabu Khan Khoja, Shopkeeper,
Shop No. 19, Madina Market
Nawabshah.

FOR
Mst. Zahida Haroon Wd/O Muhammad Haroon
r/o: 1-A/429, Mohalla Gharibabad, Market Road
Nawabshah.

SUBJECT:- LEGAL NOTICE.

Dear Sir,
On behalf of my client named above I place this legal notice in your hands
as under:-

1). That my client is owner of Shop No. 19 constructed on C.S No.940, Ward “B”
Madina Market Nawabshah by way of inheritance from her husband Muhammad
Haroon son of Din Muhammad Qureshi.

2). That previously the property was being dealt with and managed by the husband
and there after father in law of my client.
P/2…
P/2…

3). That now the property of husband of my client has been handed over along with all
the right and responsibilities to my client including the shop aforesaid in your
possession.

4). That since my client intimates about the transfer and wants to manage her property
by her own ways, therefore, if you want to remain tenant on the shop aforesaid,
then you have to enter into a fresh rent agreement with my client according to
market value within one month of issuing this notice, otherwise my client shall have
no option but to resort to for legal remedy for ejectment in accordance with law.

Please note.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- of 2009.
Dated: 15.02.2009
To

Mr. Kamran Abdul Shakoor S/O


Haji Abdul Ghafoor,
r/o: Shop No.20,21 & 22
Madina Market Nawabshah.

FOR
Mst. Zahida Haroon Wd/O Muhammad Haroon
r/o: 1-A/429, Mohalla Gharibabad, Market Road
Nawabshah.

SUBJECT:- LEGAL NOTICE.

Dear Sir,
On behalf of my client named above I place this legal notice in your hands
as under:-

1). That my client is owner of Shops Nos. 20, 21 and 22 constructed on C.S No.940,
Ward “B” Madina Market Nawabshah by way of inheritance from her husband
Muhammad Haroon son of Din Muhammad Qureshi.

2). That previously the property was being dealt with and managed by the husband
and there after father in law of my client.
P/2…
P/2…

3). That now the property of husband of my client has been handed over along with all
the right and responsibilities to my client including the shops aforesaid in your
possession.

4). That since my client intimates about the transfer and wants to manage her property
by her own ways, therefore, if you want to remain tenant on the shops aforesaid,
then you have to enter into a fresh rent agreement with my client according to
market value within one month of issuing this notice, otherwise my client shall have
no option but to resort to for legal remedy for ejectment in accordance with law.

Please note.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
To

The

For -------------------

SUBJECT: LEGAL NOTICE

Dear Sir,

On the instructions of my above named client I set this legal


notice in your hands as under:-

1). That Arshad Mehmood S/O ______________________


r/o:________________________, CNIC NO._____________________
husband of my client died on --------------------, leaving behind him the
legal heirs besides my above named client.

2). That my client is under bonafide impression that her husband was
maintaining bank account with your bank and after his death she wants
to know by your good office as to whether any account is available with
your bank of her husband or the amount if any available therein.

It is therefore, requested that account or amount if any of


husband of my client is available with your bank may kindly be
communicated.

Thanks
NO: MLC/L.N/- of 2009.
Dated: 29.01.2009
To

Ghulam Hyder son of Raj Muhammad Rahu,


R/o: Sawai Rahu, near Kazi Ahmed town,
Taluka Daulatpur, District Shaheed Benazir Abad.

2). Sub- Registrar, Taluka Sakrand, at Sakrand town.

3). Mukhtiarkar Revenue, Taluka Daulatpur, at Kazi Ahmed


District Shaheed Benazir Abad.

FOR
Habibullah S/O Muhammad Ibrahim Mahar,
r/o: Village Waali Dino Mahar, Taluka
Daulatpur, District Shaheed Benazir Abad.

SUBJECT:- LEGAL NOTICE.

Dear Sir,
Under the instructions of my above named client I set this legal notice in
your hands as under:-
P/2…

P/2…
1). That Mr. Ghulam Hyder son of Rajs Muhammad Rahu r/o: Sawai Rahu, near Kazi
Ahmed, Taluka Daulatpur, District Shaheed Benazir Abad, entered into sale agreement
with my client Habibullah son of Muhammad Ibrahim Mahar, r/o: Village Waali Dino
Mehar, Taluka Daulatpur, District Shaheed Benazir Abad, vide sale agreement dated:
22.11.2008, for a plot measuring 2040 Sq.Ft. (Rs.120/- per Sq. Ft) situated in Rahu
Colony, Deh Mir Muhammad Juno, Taluka Daulatpur, District Shaheed Benazir Abad, for
a total sale consideration Rs.2,44,800/-.

2). That at the time of sale agreement my client paid Rs.1,00,000/- as an advance
money being the part payment of sale consideration to Mr. Ghulam Hyder Rahu and rest
of the amount viz. Rs.1,44,800/- was to be paid on 05.02.2009 and in consequence
whereof Mr. Ghulam Hyder Rahu was bound to execute registered sale deed in favour of
my client for the plot aforesaid.

3). That my client well in time approached to Mr. Ghulam Hyder and requested to
receive the balance sale consideration viz. Rs.1,44,800/- and cause the registered sale
deed effected in his favour, but Mr. Ghulam Hyder due to enhancement in the rate of plot
in the locality has turned his face and has been negotiating with other persons with regard
to the plot aforesaid for sale.

4). That therefore, learned Sub-Registrar, Sakrand and learned Mukhtiarkar ®, Taluka
Daulatpur, at Kazi Ahmed are requested that there is agreement for sale taken place in
between Mr. Ghulam Hyder Rahu and my client Habibullah Mahar, my client paid a sale
consideration, therefore, my this legal notice may be kept on record so that further
mutation / registry may not take place in the interest of justice.

5). That Mr. Ghulam Hyder Rahu is also informed through this legal notice to comply
with the agreement of sale for which my client is ready and willing to get it effected by
paying the balance sale consideration well in time, otherwise my client shall be at liberty
to resort to the jurisdiction of the court of law on your own risk and cost.
Please note.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
NO: MLC/L.N/- of 2009.
Dated: 29.01.2009
To

1). Ghulam Hyder son of Raj Muhammad Rahu,


R/o: Sawai Rahu, near Kazi Ahmed town,
Taluka Daulatpur, District Shaheed Benazir Abad.

2). Sub- Registrar, Taluka Sakrand, at Sakrand town.

3). Mukhtiarkar Revenue, Taluka Daulatpur, at Kazi Ahmed


District Shaheed Benazir Abad.

FOR
Habibullah S/O Muhammad Ibrahim Mahar,
r/o: Village Waali Dino Mahar, Taluka
Daulatpur, District Shaheed Benazir Abad.

SUBJECT:- LEGAL NOTICE.

Dear Sir,
Under the instructions of my above named client I set this legal notice in
your hands as under:-
P/2…

P/2…
1). That Mr. Ghulam Hyder son of Rajs Muhammad Rahu r/o: Sawai Rahu, near Kazi
Ahmed, Taluka Daulatpur, District Shaheed Benazir Abad, entered into sale agreement
with my client Habibullah son of Muhammad Ibrahim Mahar, r/o: Village Waali Dino
Mehar, Taluka Daulatpur, District Shaheed Benazir Abad, vide sale agreement dated:
22.11.2008, for a plot measuring 2040 Sq.Ft. (Rs.120/- per Sq. Ft) situated in Rahu
Colony, Deh Mir Muhammad Juno, Taluka Daulatpur, District Shaheed Benazir Abad, for
a total sale consideration Rs.2,44,800/-.

2). That at the time of sale agreement my client paid Rs.1,00,000/- as an advance
money being the part payment of sale consideration to Mr. Ghulam Hyder Rahu and rest
of the amount viz. Rs.1,44,800/- was to be paid on 05.02.2009 and in consequence
whereof Mr. Ghulam Hyder Rahu was bound to execute registered sale deed in favour of
my client for the plot aforesaid.

3). That my client well in time approached to Mr. Ghulam Hyder and requested to
receive the balance sale consideration viz. Rs.1,44,800/- and cause the registered sale
deed effected in his favour, but Mr. Ghulam Hyder due to enhancement in the rate of plot
in the locality has turned his face and has been negotiating with other persons with regard
to the plot aforesaid for sale.

4). That therefore, learned Sub-Registrar, Sakrand and learned Mukhtiarkar ®, Taluka
Daulatpur, at Kazi Ahmed are requested that there is agreement for sale taken place in
between Mr. Ghulam Hyder Rahu and my client Habibullah Mahar, my client paid a sale
consideration, therefore, my this legal notice may be kept on record so that further
mutation / registry may not take place in the interest of justice.

5). That Mr. Ghulam Hyder Rahu is also informed through this legal notice to comply
with the agreement of sale for which my client is ready and willing to get it effected by
paying the balance sale consideration well in time, otherwise my client shall be at liberty
to resort to the jurisdiction of the court of law on your own risk and cost.
Please note.
Yours truly

(AMEER ALI MAHESSAR)


ADVOCATE
To

1). Zaheer Ahmed Soomro


r/o: Soomro Mohalla, Moro Town,
Taluka Moro, District Naushehero Feroze,
Presently posted as Manager, in United Bank
Ltd,
City Branch, 1st Floor, I.I. Chundrigar Road,
Karachi

2). Mirza Muhammad Naeem Baig,


Presently posted as Auto Collection Manager,
in United Bank Ltd, City Branch, 1st Floor,
I.I. Chundrigar Road, Karachi

For

Qadir Bux son of Illahi Bux Ujjan


r/o: Azim Colony, Nawabshah.

SUBJECT:- LEGAL NOTICE.

Dear Sir,

Under the instructions of my above named client I


give you this legal notice as under:-

1). That you (Mr. Zaheer Ahmed Soomro) was well known to
my client and came to my client and offered him to purchase a
Coure Car on leasing basis as you were engaged in the bank
for that business.
P/2…
P/2…

2). That my client became ready to purchase the car as


offered to him and in this regard on 07.09.2008, at about 5:00
pm you both came to my client at Nawabshah and asked him
to arrange for payment of Rs.1,20,000/- (Rupees one Lac
twenty thousand only) as well as CNIC and four photographs,
which my client arranged and handed over to you in presence
of Mr. Amjad Ali Bughio and Mr.Imtiaz Ali Mallah, on your
assurance that car would be delivered to my client within a
fortnight.

3). That after the passage of stipulated period my client


contacted you both and complained of the matter about the
non-delivery of vehicle and you again kept him on false hopes
that the vehicle would be delivered within a week.

4). That even after the extended period the car was not
delivered and on enquiry by my client he was apprised that
neither his documents nor the amount given was deposited in
the Bank so that the case would have been brought in
process.

5). That since you have obtained an amount of Rs.1,20,000/-,


copy of CNIC and photographs but you have cheated my client
rather than to accomplish your commitment as aforesaid.

That by your act and conduct you have made


yourself responsible for litigation civil as well as criminal,
therefore, you are hereby requested to please settle the matter
with my client within a fortnight, otherwise my client shall
have right to go to law on your own risk and cost.
Please note.

(AMEER ALI MAHESSAR )


ADVOCATE
Nawabshah.
Dated: 07.10.2008

To
Mst. Zahida Parveen D/o Mukhtiar Ahmed Mughal,
R/o Railway Colony, Nawabshah to her self as well as
Through Mukhtiar Ahmed, R/o Railway Colony
Nawabshah.

For
Mr. Muhammad Nadeem S/o Muhammad Afzal Mughal,
R/o: Latifabad Nawabshah.

SUBJECT:- LEGAL NOTICE.

Respected Mada/ Sir,

Under the instructions of my above named client I give you the legal notice as
under:-
1). That my client Muhammad Nadeem S/o Muhammad Afzal entered into marriage with you
( Mst. Zahida Parveen) on 19-08-2007 and you were brought by my client at his home and the
marriage was consummated.

2). That you (Mst. Zahida Parveen) resided with my client happily in his house in accordance
with injunction of Islam for about 8/9 month after the marriage was taken place.

3). That your mother arrived in the house of my client for a visiting purpose in the month of May
2008 and requested not only to you but also me to accord him permission to take you with her to the
house of your mother and demanded expenses of delivery, which my client according to him in
lump sum Rs.12,000/- in addition to permission for the taking place of delivery at your mother’s
abode as well.

4.) That you went along with your mother to the house of your parents but did not return back
as yet, despite of repeated approaches of my client to you.

5.) That due to your conduct and attitude you are not carrying out the marital obligation with my
client, for which you are oblige to do so.

You are therefore, given this notice to come into the house of my client to perform marital
obligations, other wise my client shall at liberty to resort to legal remedy for restitution of conjugal
rights as well on your own risk and cost.

Please Note

Nawabshah.
Dated: 21.01.2009 Asif Hamayun Mughal,
Near Shafique Medical Centre,
Gharibabad Nawabshah.
ADVOCATE
NO: MLC/L.N/- of 2008.
Dated: 13.12.2008
To
M/S Zamir, Ovais & Malik Law Associates,
Barristers & legal consultants,
Suit 214, Clifton Center , DC-I, Block 5,
Kehkashan , Clifton Karachi.

FOR
Mr. Tanveer Ahmed S/O Muhammad Saleh
Propriotor Hassan Electronics,
Masjid Road, Nawabshah.

SUBJECT:- REPLY OF LEGAL NOTICE.


Reference :- Your letter dated: 15.11.2008

Dear Sir,
Received your legal notice referred above which is replied on behalf of my
above named client, as under:-
1). That the contents as mentioned in Para No.1 of your legal notice is uncontroversial
as there was lease agreement / contract taken place in respect of one Toyota Hiace
bearing registration No.GF-3376, in the sum of Rs.12,77,640/- which was payable in
36 equal installments each one was Rs.35,940/-.

2). That the contents of Para No.2 of your legal notice are not comprehensive as
your client not only received a promissory note but also all the Cheques of
the amount of vehicle aforesaid in token for one and the same amount and it
was agreed that soon after the copy of the said promissory note , agreement
and original registration book of the vehicle would be given to my client but
the same has neither been given to my client despite of several approaches
as well as demands and even the promissory note was to be returned during
the last year of the payment but nothing has been complied with by your
client.
P/2…

P/2…
3). That however, my client approached the office of your client for obtaining of
documents aforesaid but Mr. Waseem Baig, Officer of your client demanded
Rs.72,000/- from my client for handing over the documents aforesaid very
soon, which my client paid to him in the shape of two cheques drawn on UBL
Masjid Road, Nawabshah, but even after paying the said amount neither the
original registration book nor the original promissory note nor the copy of
agreement has been handed over to my client yet.

4). That since my client had issued all the cheques in advance for the whole
amount of the vehicle aforesaid to your client and the time of agreement has
been completed but yet your client is not ready to carry out the words.

5). That it is also notable thing that none from the cheques issued by my client
to your client has ever been dishonored, therefore, there is no any
outstanding whatsoever of your client is against my client.

6). That in the month of July, 2008 my client approached to your client as the
vehicle aforesaid faced a major accident for getting the same repaired being
ensured one. Your client took the photographs of the vehicle and assured my
client that they would get the vehicle repaired by the Insurance company
very soon but till yet no any fruit full step has been taken.

7). You are therefore, requested to advise your client to hand over the
documents aforesaid as well as get the vehicle repaired as per their words as
your client has misguided you and has set forth false facts before you.

8). That since July, 2008 the vehicle is out of order and due to assurance given
by your client, my client has sustained a heavy monetary loss as well as
mental torture, due to conduct and attitude of your client.

9). That due to the conduct and attitude of your client my client is constrained to
get the vehicle repaired on his own expenditure which shall be about
Rs.3,50,000/- recoverable from your client.

10). That now your client has started issuing threats to my client for taking away
the vehicle illegally and forcibly by its influence, for which my client shall be
at liberty to file Criminal as well as Civil litigation against your client on
his/its own risk and costs.
This is for your information

Yours truly

(AMEER ALI MAHESSAR )


ADVOCATE
NO: MLC/L.N/- of 2008.
Dated: 23.11.2008
To
1). Nazar Hussain S/O Muhammad Anwar Ghuman,
r/o: Shop No.62, Sindh Decoration, Main Road
Sakrand.

2). Ghulam Dastagir S/O Muhammad Hanif.


r/o: Shop No.62, Al-Madina Deep Well Engineering,
near Sindh Decoration, Main Road Sakrand.
For

Ghulam Muhammad S/O Ghulam Qadir Paryhar,


r/o: Village Noor Bhoora, Taluka Sakrand,
District Shaheed Mohtarma Benazir Bhutto.

SUBJECT:- NOTICE U/S 18 OF SINDH RENTED PREMISES ORDINANCE, 1979.

Dear Sir,

Under the instructions of my above named client I give you this legal notice
as under:-

1). That you are tenant on Skini Shop No. 62 , situated in old Sakrand, Deh 18
Sakrand, Taluka Sakrand, District Shaheed Mohtarma Benazir Bhutto.
P/2…
P/2…

2). That the rent of above said shops is Rs.1500/- per month each.

3). That since my client has purchased the shops in your respective possession
vide registered sale deed No.1493, dated: 15.10.2008 and has become the
owner of the same and that has been mutated in the record of rights vide
entry No.779, dated: 13.11.2008.

4). That being the owner of the shops my client is entitled to receive the rent
from you and you are bound to pay the rent to my client.

5). That if you want to be tenants on the shops aforesaid then a new
agreements for rent is required to be executed in between you and my client,
otherwise my client shall reserve the right according to law.

You are therefore, intimated to pay the rent of Rs.1500/- per month for
each shop for current month as well as onwards and carry out the condition
mentioned in Para No.5.

Please note.

Yours truly

(AMEER ALI MAHESSAR )


ADVOCATE

To
1). Zaheer Ahmed Soomro
r/o: Soomro Mohalla, Moro Town,
Taluka Moro, District Naushehero Feroze,
Presently posted as Manager, in United Bank Ltd,
City Branch, 1st Floor, I.I. Chundrigar Road,
Karachi

2). Mirza Muhammad Naeem Baig,


Presently posted as Auto Collection Manager,
in United Bank Ltd, City Branch, 1st Floor,
I.I. Chundrigar Road, Karachi

For

Qadir Bux son of Illahi Bux Ujjan


r/o: Azim Colony, Nawabshah.

SUBJECT:- LEGAL NOTICE.

Dear Sir,

Under the instructions of my above named client I give you this legal notice
as under:-

1). That you (Mr. Zaheer Ahmed Soomro) was well known to my client and came to my
client and offered him to purchase a Coure Car on leasing basis as you were engaged in
the bank for that business.
P/2…

P/2…

2). That my client became ready to purchase the car as offered to him and in this regard
on 07.09.2008, at about 5:00 pm you both came to my client at Nawabshah and asked him
to arrange for payment of Rs.1,20,000/- (Rupees one Lac twenty thousand only) as well as
CNIC and four photographs, which my client arranged and handed over to you in presence
of Mr. Amjad Ali Bughio and Mr.Imtiaz Ali Mallah, on your assurance that car would be
delivered to my client within a fortnight.

3). That after the passage of stipulated period my client contacted you both and
complained of the matter about the non-delivery of vehicle and you again kept him on false
hopes that the vehicle would be delivered within a week.

4). That even after the extended period the car was not delivered and on enquiry by my
client he was apprised that neither his documents nor the amount given was deposited in
the Bank so that the case would have been brought in process.

5). That since you have obtained an amount of Rs.1,20,000/-, copy of CNIC and
photographs but you have cheated my client rather than to accomplish your commitment
as aforesaid.
That by your act and conduct you have made yourself responsible for
litigation civil as well as criminal, therefore, you are hereby requested to please settle the
matter with my client within a fortnight, otherwise my client shall have right to go to law on
your own risk and cost.
Please note.

(AMEER ALI MAHESSAR )


ADVOCATE
Nawabshah.
Dated: 07.10.2008
MLC/L.N-/No of 2009.
Dated: 19.01.2009
To
The Manager Habib Bank Limited,
Masjid Road Nawabshah.

For
Miss. Meher Afshan D/o Late Abdul Hameed
Memon r/o: House No. A-35,Government
Employees Co- Operative, Housing Society,
Nawabshah.

SUBJECT:- REMINDER FOR WITHDRAWAL OF AMOUNT.

Reference:- My letter No. MLC/ L.N-21 of 08, dated 28-11-2008

Dear Sir,
Under the instructions of my above named client I request you through this reminder
with reference to my letter referred above as under:-
1). That through my letter referred above I requested to your kind honour with regard to
withdrawal of the amount maintained with your Bank in PLS Account No 29983-6 opened by Dr.
Mehar Afroz (the sister of my above named client), in the name of minor Baby Iqra.

2). That at the time of her death, she left Rs. 454,875/ 23- with your branch and such certificate
dated 23-06-2008 was also issued by your branch.

3). That the letter was dispatched through registered post acknowledgement due received by
your kind office dated 02-12-2008, but since then no response whatsoever has been given by your
kind office, so that my client being legal heir of Dr. Meher Afroz may deal it with in accordance with
law.

It is, therefore, again requested that the requirement by your kind office if any for withdrawal
of amount may kindly be communicated so that my client may resort further assistance.
Thanking you in good anticipation

(AMEER ALI MAHESSAR )


ADVOCATE
Nawabshah.
Dated: 19.01.2009
To
The Manager Habib Bank Limited,
Masjid Road Nawabshah.

For
Miss. Meher Afshan D/o Late Abdul Hameed
Memon r/o: House No. A-35,Government
Employees Co- Operative, Housing Society,
Nawabshah.

SUBJECT:- WITHDRAWAL OF AMOUNT.

Dear Sir,
Under the instructions of my above named client I request you as under:-
1). That Dr. Mehar Afroz(the sister of my above named client) opened PLS account No.
29983-6 with your branch in the name of minor Baby Iqra, which was being operated by Dr.
Mehar Afroz before her death viz 10-06-2007.

2). That at the time of her death, she left Rs. 454,875/ 23- with your branch and such
certificate dated 23-06-2008 was also issued by your branch.

3). That my client named above being one of the legal heirs of deceased Dr. Mehar
Afroz is to apply for succession certificate before the competent court of law.

4). That my client wants to know for legal requirement or condition, if any, on your part
for withdrawal of the amount aforesaid, so that it may be carried out.

You are therefore, requested to intimate with regard to the any of the legal
requirements by your bank for the withdrawal of the amount aforesaid so that the same be
complied with.

Thanking you in good anticipation


(AMEER ALI MAHESSAR )
ADVOCATE
Nawabshah.
Dated: 28.11.2008
To

1). Faiz Muhammad son of


Haji Noor Muhammad Pirzado,
r/o: Mehran Colony, Nawabshah.
At present Gharibabad near Dargah Hazar Gul
Nawabshah.

2). Nasir Ali son of Haji Asghar Qureshi,


Proprietor, State Agent, Etihad Agency,
Paryal Pilaza Nawabshah.
r/o: House N0: IIB-709,
Muhallah Manuabad, Nawabshah.

SUBJECT:- LEGAL NOTICE.

I have received instructions from my client Mr. Jameel Ahmed Panhwer,


addressed to you as under:-
1). That you both came to my client and Faiz Muhammad son of Haji Noor Muhammad
Pirzado entered into an agreement for the purchase of plot No.30, measuring 1590 Sq.
Ft . situated in Deh 50 Dad, S.No.189, near Imamia Colony, Nawabshah, on 01.07.2008,
in the sum of Rs.5,72,400/-.
P/2…

P/2…

2). That you paid an advance amount of Rs.50,000/- while remaining outstanding of
Rs.5,22,400/- was to be paid by you to my client till 15.08.2008, but despite of several
approaches of my client you did not do so intentionally and deliberately, which compelled
my client to issue this notice.

3). That since my client is willing and ready to perform his part of contract by entering
into registered sale deed before Sub-Registrar, Nawabshah, if you approaches my client
by paying outstanding amount aforesaid within 07 days, otherwise my client shall have no
option except to cancel the agreement and after the passage of 07 days if you do not
comply with your words the agreement dated: 01.07.2008, would be deemed as
cancelled and you shall have no claim whatsoever in respect of aforesaid plot and an
advance amount paid by you viz. Rs.50,000/- would be deemed to have been forfeited.
Please note.

(AMEER ALI MAHESSAR )


ADVOCATE
Nawabshah.
Dated: 13.09.2008
SUBJECT:-

1. Taluka Nazim, Taluka Minicipal


Administration, Taluka Nawabshah;

2. Nawaz Ali Domki , Taluka Municipal


Officer, Taluka Municipal Administration
Taluka, Nawabshah.

3.Azeem Haqani S/o Haji Naeem Haqani,


Advertizer R/o near Foundation Public School
G.E.C.Housing Society, Nawabshah, Office
Address Sachal Sarmast Estate Agency,
Regal Chowk, Nawabshah.

4. Shahid, Advertiser, Al-Habib Motor


Cycles R/o Plot No.4LR 8, Muhammad Ali
Arcade Jamila Street, Food Market, Unique
Newn Sign, Karachi.

5. Masood, Advertiser, Mobilink Mobile


Celular Service, Mirza 9-Lane Phase-II
Extension, Defence Housing Authority,
Karachi.

6. Manager Fouji Fertilizer Company, FFC


Godown, link Road Society, Nawabshah.

7. Muhammad Hussain, Advertizer Crystal


Publicity, Company, Heerabad, Hyderabad.
Page-2

8. Aslam Qureshi, Advertizer, Telenor Mobile


Celular Company & Fresh man Soap, Near
Board Office Latifabad No.7, Hyderabad.

9. Muhammad Saleem, Sign Art Company,


Advertizer, Soya Supreme Sakrand Road,
Nawabshah.

10. Manager, Paradise Town, Mohni Bazzar,


Nawabshah.
11. Manager KASB, Bank Ltd, Baldia Chowk,
Nawabshah.
12. Agha Khan Laboratory, Through its
Incharge, Hospital Road, Nawabshah.
13. Tariq Masood Arain, MPA, Dhamrah Road,
Nawabshah.
………………..Opponents.
For: Ameer Ali son of Lal Bux, Khaskheli,
Contractor of holding Hoarding Board, TMA,
Nawabshah, R/o Village Mir Jan Muhammad Khaskheli,
Taluka & District Nawabshah.

Dear Sir,

I have the honour to address you under the instructions of my client as under;

1. That my client obtained lease hold rights for collection of fee/ tax on 04-07-2007,
from TMA through its Taluka Nazim, Taluka Nawabshah, for one year.
2. That after passage of some time my client approached you for the recovery of
taxes and such bill was issued to you, on which you replied that taxes would be paid to
my client after three months but you did not carry out your words and avoided to pay the
tax.
3. That due to your such act my client was unable to pay the dues of TMA, which
created trouble for my client and sustain serious loss and injury not only financially but
also mentally.
4. That the bill of Rs. Was issued to you in accordance with rules and
regulations according to your Hoarding Board laid till the expiry of lease hold of my client.
5. That my client asserts the amount of Rs. Against you alongwith the
damages.

You are, therefore, given this notice that amount of Rs. Of my client may
be paid to him and settle the matter in question with my client within 15 days of issuance
of this notice, otherwise he shall be at liberty to resort to the competenent court of law for
legal remedy/ relief on your own risk and cost.

Thanks

Ameer Ali Mahessar


Advocate,
To, Tariq Masood Arain, MPA, Dhamrah Road,
Nawabshah.

For: Ameer Ali son of Lal Bux, Khaskheli,


Contractor of holding Hoarding Board, TMA,
Nawabshah, R/o Village Mir Jan Muhammad Khaskheli,
Taluka & District Nawabshah.

Subject: LEGAL NOTICE


Dear Sir,

I have the honour to address you under the instructions of my client as under;

1. That my client obtained lease hold rights for collection of fee/ tax on 04-07-2007, from TMA
through its Taluka Nazim, Taluka Nawabshah, for one year.
2. That after passage of some time my client approached you for the recovery of taxes and
such bill was issued to you, on which you replied that taxes would be paid to my client after three
months but you did not carry out your words and avoided to pay the tax.
3. That due to your such act my client was unable to pay the dues of TMA, which created
trouble for my client and sustain serious loss and injury not only financially but mentally also.
4. That the bill of Rs.11,21,100/- was issued to you in respect of out standing due against
you according to your Hoarding Board laid till the expiry of lease hold of my client.
5. That my client asserts the amount of Rs. 11,21,100/- against you alongwith the damages.

You are, therefore, given this notice that amount of Rs. 11,21,100/- of my client may be
paid to him and settle the matter in question with my client within 15 days of issuance of this
notice, otherwise he shall be at liberty to resort to the competent court of law for legal remedy/
relief on your own risk and cost.
Thanks

Ameer Ali Mahessar


Advocate,
To

1). Mr. Asghar D. Habib


Managing Director,
2). The Residents Director,
3). The Operational Director,
4). The General Manager
Adminstration

Habib Sugar Mills Limitted,


Nawabshah.

SUBJECT:- REMOVAL OF WASTE / FILTHY WATER FROM THE PONDS SITUATED


NEAR OUR HOUSES.

1). That I being General Secretary , “Goth Sudhar Sangat” Village Mir Jan
Muhammad Khaskheli, Deh 86 Nusrat, Taluka Nawabshah, District
Shaheed Benazir Abad, besides other villagers have observed that
there are about 10 ponds of filthy water constructed near our houses,
and the level of that water is more than 10 feet from the level of the
ground of our houses.

2). That there is a bad smell felt 24 hours, which has made the life of our
villager miserable, who made complaints to me and resultantly I met
with the local administration so that they removed the ponds of filthy
water there from or make the arrangements to regulate the same in
proper manner, so that we may not be suffered.

3). That due to the high-level of filthy water in the ponds , so many
diseased have open their mouths and the peoples of my village are
suffering from Malaria etc day by day.

4). That due to the high-level of the filthy water, under ground water level
has been increased which has started to damage our houses and not
only this but the test of the under ground water has also been
changed.

5). That no any fruitful action has been taken so far to consider my
complaints as aforesaid.

Therefore, the ponds may be removed from the site and those
may be transferred to another site, otherwise we shall have no option
but to go to law on your own risk and costs.
Thanks.

(AMEER ALI KHASKEHLI)


General Secretary,
“Goth Sudhar Sangat”
Village Mir Jan Muhammad Khaskheli,
Deh 86 Nusrat, Taluka Nawabshah.
Rao Muhammad Javed
B.Sc LL.B. Cell:0333-7586974

House No: 282/837,


Camp No. 2, Nawabshah.

Ref:-_______ Date___________

To
1). Mr. Javed Ahmed S/O Saghir Ahmed Rajput,
r/o: House NO. G-344, Usmabad Geo Shala,
near Al-Qruesh School Hyderabad.

2). Mr. Syed Muhammad Shah Advocate,


First Street Manuabad, Near Khizra Masjid,
Nawabshah.
FOR :

1). Mr. Muhammad Rasheed S/O Hakeemuddin Bhatti.


2). Mr. Muhamamd Rafique S/O Roshan Ali Bhatti.
3). Mr. Asif Rasheed S/O Muhammad Rasheed Bhatti.
4). Mr. Saleem Hussain S/O Fakir Hussain Awan.
5). Ali Hassan S/O Mir Khan Zardari.
6). Mir S/O Aado Khan Zardari.
Sponsor of Sana Model City, Phase-A,
Deh Lakhmir main Airport Road, Taluka
Nawabshah, District Shaheed Benazir Abad,
Branch Office A-one Estate Office, near Regal Chouk
Sakrand Road, Nawabshah.

SUBJECT: - REPLY LEGAL NOTICE.

Refernce : Your legal notice dated: 22.09.2011

Dear Sir ,
In respeonse to legal notice referred above I place the reply thereof into your hands as
under:-

1). That contents of para No.1 of legal notice issued by you to my clients are undisputed.
2). That contents of para NO.2, of your legal notice are imagenary and divid of truth, neither you / your
client has been reguallary paying the installments as per agreement mentioned in para No.1, of your legal
notice and he has been remained defaulter in payment towards installments, however, their remain 14
installments towards shops were due against you/ your client, but you/your client approached the office of my
clients and requested four installments may be obtained from him, while rest 10 installments would be paid
within a week, therefore, the four installments out of 14 installments were received but you / your clinet did not
pay the remaining installamnets and has committed default over default.
3). That total payment of shops was to have been completed within 48 months of the agreement but 52
months have been passed and payment has yet not been completed by you / your client towards shops. So
far the installments of plots / house was conscerned the same was to have been paid within 60 months and
52 months have been passed as yet. Therefore, you / your client are advised to complete the payment of
installments due against the payment of shops within a week , otherwise my clients shall have no option but
to cancel the agreement taken place in between you / your clinet and my clients and the same shall be
deemed to have been cancelled after the lapes of week from today. So far the installments towards the plots
of house are concerned you / your client is default of 06 past installments, therefore, you / your client are
advised to make a complete payment within a week otherwise the agreement aforesaid shall be deemed to
have been canclled on the part of my clients and you shall have no concern either to the shops aforesaid or to
the plots / house afreosaid, which shall be re-sold , if you failed to comply with the condition aforesaid.
Please note.
(RAO MUHAMMAD JAVED)
ADVOCATE

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