Tuesday, 28 April 2020

SUIT FOR PERMANENT & MANDATORY INJUNCTION



 IN THE COURT OF        CIVIL JUDGE & JUDICIAL MAGISTRATE KOTRI.

                     Civil Suit No.              /2008.


Shahnawaz S/o Ahmed Khan  Resident    of    House No.def
Near   opposite    power    House   
Site Kotri, District Jamshoro………………………………………PLAINTIFF.


                                                V E R S U S.


01.     Naseem Ahmed S/o Sultan.

02.     Sarwan S/o Sultan
          by caste Maqsood  Pathan,
          resident  of   Marri   Balouch
          Colony Asadabad Site Kotri,
          District Jamshoro ………………..…………………………DEFENDANTS.


SUIT FOR PERMANENT  &
MANDATORY INJUNCTION


                   
                   The above named plaintiff respectfully submits as under:-


1.                                         That the above named plaintiff is law abiding citizen of Pakistan having certain fundamental rights are being guarantees to him under the Constitution of Islamic Republic of Pakistan.

2.                                         That the parties to the suit are not agriculturists, as such D.R.A Act is not applicable.

3.                                         That the house bearing No.431 situated at Near   opposite    power    House   Asadabad Site Kotri, District Jamshoro, shall hereinafter be called as suit property.

4.                                         That the above mentioned suit property belongs with the plaintiff, which suit property was purchased by his father namely Nijabat Ali alias Sain Baba in the year of 1991 through sale agreement from one Dildar S/o Kaalia and the father of plaintiff was put in the possession of suit property since then the suit property is under the physical possession of plaintiff. Copy of sale agreement is submitted herewith as annexure “A”.

5.                                         That the plaintiff has been regularly paying the Utility bills  to the concerned authorities viz. electricity bills, Sui Gas Bill, Telephone Bill and Water Supply Bills, however the electricity bill and telephone bills are yet coming in the name of father of plaintiff who has been expired and Sui gas as well as water supply bills are coming in the name of plaintiff. Copies of utility bills are submitted herewith as annexure “B” to “E”.

6.                                         That earlier one relative of defendant namely Muhammad Ameen was trying to encroach upon the common street but plaintiff approached to U-C Bolhari against the said person Muhammad Ameen  however the chairman of Insaf Committee U.C Bolhari made the decision in favour of plaintiff. Copy of such decision in submitted herewith as annexure “F”.

7.                                         That both the defendant belongs to Land Mafia and Qabza group and further the defendants have illegally unlawfully, encroached upon by constructing the house over there and have closed some portion of common street, which is situated besides the suit property.

8.                                         That about 10 days back  the above named plaintiff went to the defendants and requested them to remove the encroachment from  common street as there is inconvenience for general public of locality, on which both the defendant misbehaved  and threaten the plaintiff that if the plaintiff is interested for smooth way of general public then  the suit property must be demolished from northern side of the street.

9.                                         That since the both defendants are land grabbers already they have occupied and encroached upon the common street by constructing the house therein and now both defendants have evil eye over the suit property and in this regard they are continuously making the designs to dispossess the plaintiff from the suit property.

10.                                     That the acts of the defendants while forcibly, illegally  and unlawfully dispossess the plaintiff from the suit property are illegal  and unjustified and same are liable to be restrained and plaintiff could not be dispossessed from the suit property without due course of law.

11.                                     That cause of action to file the present suit has been accrued about 10 days back when the plaintiff went to defendant for requesting them to remove the encroachment from common street and threaten the plaintiff for forcibly demolishing the suit property from northern side of common street, and same is happening day by day till today


12.                                     That since the suit property is situated within the jurisdiction of this Honourable Court, therefore, this Honourable Court has got jurisdiction to entertain this suit.

13.                                     That suit of the plaintiff is valued at the rate of Rs.10,000/- for permanent injunction and same is below the prescribed court fee.

14.                                     That the plaintiff above named therefore, pray for judgment and decree as under:-


P R A Y E R .

a)                                       That this Honourable Court may be pleased to issue permanent and mandatory injunction against the defendants calling upon them to remove the encroachment and to pull down the house raised illegally and unlawfully from common street situated at Assadabad Colony Kotri and in case of their failure, the same be got demolished at the costs of the defendants.

b)                                       That in meanwhile the defendants be restrained and prohibited from interfering with the possession of plaintiff suit property directly or indirectly through their agents, servants, masons, labourers in any manner what so ever till the final disposal of the suit.

c)                                        That any other relief this Honourable Court may also be granted

d)                                       Costs of the suit be borne on the defendants.



KOTRI.
DATED.17th  May, 2008.                                                 P L A I N T I F F
                                V E R I F I C A T I O N.

                   I, _________________________, By   caste   ______________________________ adult,     Resident    of    _______________________________District Jamshoro, do hereby state on oath this 17th day of May, 2008 at Kotri, and say that the contents of the plaint are true and correct to the best of my knowledge and belief.


Plaintiff/Deponent.

                                                                   I know the deponent.



                                                         
                                                                                   ADVOCATE FOR PLAINTIFF.
DOCUMENTS FILED.

Documents Annexure A to F.

DOCUMENTS RELIED UPON.
if any found necessary.

                             Address of the parties are same which are given  in the title page of the suit, for purpose of service.



                                                         
                                                                                   ADVOCATE FOR PLAINTIFF.



IN THE COURT OF I-CIVIL JUDGE & JUDICIAL MAGISTRATE KOTRI.

                     Civil Suit No.              /2008.


Shah  Nawaz  …………………….……………………………………PLAINTIFF.


                                                V E R S U S.


Ahmed Jan S/o Sultan others……………………………………DEFENDANTS


                   LIST OF LEGAL HEIRS OF THE PLAINTIFF.

1.
2.
3.
4.

         

                   In case of death of plaintiff the serial No.1 of the legal heirs shall inform the courts.


KOTRI.                                                                   PLAINTIFF.
DATED.17th May, 2008.





IN THE COURT OF I-CIVIL JUDGE & JUDICIAL MAGISTRATE KOTRI.

                     Civil Suit No.              /2008.


Shah  Nawaz  …………………….……………………………………PLAINTIFF.


                                                V E R S U S.


Ahmed Jan S/o Sultan others……………………………………DEFENDANTS

                APPLICATION UNDER ORDER 39 RULE 1 & 2.  
C.P.C   READ   WITH   SECTION   151  C.P.C.


                   For the reason given in the accompanying affidavit it is prayed that this Honourable Court be pleased to issue permanent and mandatory injunction against the defendants calling upon them to remove the encroachment and to pull down the house raised illegally and unlawfully from common street situated at Assadabad Colony Kotri and in case of their failure, the same be got demolished at the costs of the defendants, whereby restraining the defendants not to forcibly dispossess the plaintiff from the above mentioned suit property through themselves or their agents including local police in any manner what so ever without due course of law application is supported by accompanying affidavit.


                   The above prayer is made in the interest of justice.



Kotri.                                                 
Dated. 17th April, 2008.                               ADVOCATE FOR PLAINTIFF.



IN THE COURT OF      CIVIL JUDGE & JUDICIAL MAGISTRATE KOTRI.

                     Civil Suit No.              /2008.


Shahnawaz........…………………….. ……. …………………PLAINTIFF.


                                      V E R S U S.


Gul Muhammad  and others………………………………….DEFENDANTS


                                      A F F I D A V I T .
                   I, _______________________   Pir, muslim, adult,     Resident    of  _________________________________________ District Jamshoro, do hereby state on oath as under:-

1.                                         That I am plaintiff in the above matter as such am well conversant with the facts of the case.

2.                                         That the accompanying application under order 39 rule 1 and 2 CPC R/W Section 151 CPC has been drafted under my instructions and I say that its contents are true and correct to the best of my knowledge and belief.

3.                                         That I have made out a good prima facie case for grant of injunction,

4.                                         That the balance of convenience lies in my favour.

5.                                         That in case the injunction is not granted I shall suffer irreparable loss and injury which can not be compensated in shape of money.

6.                                         That for the sake of brevity the contents of the stay application may be treated and read as part and parcel of this affidavit.

7.                                         That whatever stated above is true and correct to the bet of my knowledge and belief.


Kotri                                                            Plaintiff/Deponent.
Dated. 17th May, 2008.
                                               
                                                                   I know the deponent.


                                                          
                                                                                   ADVOCATE FOR PLAINTIFF.


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