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IN THE HIGH COURT OF SINDH AT KARACHI

Suit No. 2066 of 2017


Mst. Rizwana Shaikh & others …….………….Plaintiff

VERSUS

Faraz Ahmed Shaikh ………………..Defendants

APPLICATION UNDER 110 SINDH CHIEF COURT RULES

It is most reverently implored on behalf of Defendant that this

Honorable Court may be pleased to allow the urgent hearing application

and whereby the above-noted Civil Suit may please be fixed on 20 -03-

2023 for hearing as a case of urgent motion as previously matter was fixed

on 3-03- 2022 at that time Nazir report was not submitted later Nazir

provided the report in front of Hon’ble court. It is, therefore, beseech, for

ample consideration of this application, in the larger interest of justice,

equity & fair-play. For appreciate order regarding the sale of plot no. 26-

A-1-26 and A-1—27 situated at Kohisar Housing Scheme V, Hyderabad on

the respect sale consideration to the buyer same may be fixed urgently.

Prayed accordingly.

KARACHI.
DATED. ADVOCATE FOR DEFENDANTS
IN THE HIGH COURT OF SINDH AT KARACHI

Suit No. 2066-0f 2017

Mst. Rizwan Shaikh & other ……….Plaintiff

VERSUS

Faraz Ahmed Shaikh. …….. Defendants

AFFIDAVIT

I, Faraz Ahmed shaikh. s/o of Nazeer Ahmed Shaikh, Muslim,


Adult, R/O No house no. a130 block 3 gulistan e johar, do hereby state on
Oath as under:-

1. That I am deponent herein and being of Defendant in the above noted matter, as
such, I am fully conversant with the facts to which I am deposing.

2. I say that the accompanying application has been drafted and filed under the
specific instructions of plaintiff.

3. I say that for the sake of brevity, the contents of accompanying application may
please be treated as part and parcel of this affidavit.

4. I say that it will be in the interest of justice to allow urgent hearing


of the above matter as a case of urgent motion in court.

5. I say that until and unless the accompanying application may please be allowed, I
shall bound to suffer an irreparable loss.

6. That whatever stated above is true and correct to the best of my knowledge and
belief.

DEPONENT
IN THE HIGH COURT OF SINDH AT KARACHI

Civil Suit No.155 of 2015

Ruqqiaya Raza………………………………………………………………………
Plaintiff.

Versus

Mst. Rehmat Bibi & Others………………………………….Defendants.

APPLICATION UNDER 110 SINDH CHIEF COURT RULES

It is most reverently implored on behalf of above-named Defendant

No.5, 6 and 7 that this Honorable Court may be pleased to allow the

urgent hearing application and whereby the above-noted Civil Suit may

please be fixed on___________ for hearing as a case of urgent motion. It

is, therefore, beseech, for ample consideration of this application, in the

larger interest of justice, equity & fair-play.

Prayed accordingly.

KARACHI.
DATED. ADVOCATE FOR DEFENDANT NO.5, 6 & 7

IN THE HIGH COURT OF SINDH AT KARACHI

Civil Suit No.155 of 2015

Ruqqiaya Raza………………………………………………………………………
Plaintiff.

Versus

Mst. Rehmat Bibi & Others………………………………….Defendants.

AFFIDAVIT
I, Muhammad Imran Khan S/o Late Muhammad Usman Khan,
Muslim, Adult, R/O Karachi, do hereby state on Oath as under:-

7. That I am deponent herein and being Defendant No.6 in the above-noted matter,
as such, I am fully conversant with the facts to which I am deposing.

8. I say that the accompanying application has been drafted and filed under my
specific instructions.

9. I say that for the sake of brevity, the contents of accompanying application may
please be treated as part and parcel of this affidavit.

10. I say that it will be in the interest of justice to allow urgent hearing
of the above matter as a case of urgent motion in court.

11. I say that until and unless the accompanying application may please be allowed, I
shall bound to suffer an irreparable loss.

12. That whatever stated above is true and correct to the best of my knowledge and
belief.

DEPONENT

IN THE HIGH COURT OF SINDH AT KARACHI

Civil Suit No.892 of 2017

Mst.Nusrat Arif……………………………………………………………………Plaintiff.

Versus

Muhammad Hayat
& others…………………………………………………………………………………
Defendants.

APPLICATION UNDER 110 SINDH CHIEF COURT RULES

It is most reverently implored on behalf of above-named Plaintiff

that this Honorable Court may be pleased to allow the urgent hearing

application and whereby the above-noted Civil Suit may please be fixed

on___________ for hearing as a case of urgent motion. It is, therefore,

beseech, for ample consideration of this application, in the larger interest

of justice, equity & fair-play.

Prayed accordingly.

KARACHI.
DATED. ADVOCATE FOR PLAINTIFF

IN THE HIGH COURT OF SINDH AT KARACHI

Civil Suit No.892 of 2017

Mst.Nusrat Arif……………………………………………………………………Plaintiff.

Versus

Muhammad Hayat
& others…………………………………………………………………………………
Defendants.

AFFIDAVIT

I, Nusrat Arif Wd/o Late Muhammad Arif, Muslim, Adult, Resident


of House No.L-821, sector 31/A Allahwala Town, Korangi Crossing,
Karachi, do hereby state on Oath as under:-

13. That I am deponent herein and being Plaintiff in the above-noted matter, as such, I
am fully conversant with the facts to which I am deposing.

14. I say that the accompanying application has been drafted and filed under my
specific instructions.
15. I say that for the sake of brevity, the contents of accompanying application may
please be treated as part and parcel of this affidavit.

16. I say that it will be in the interest of justice to allow urgent hearing
of the above matter as a case of urgent motion in court.

17. I say that until and unless the accompanying application may please be allowed, I
shall bound to suffer an irreparable loss.

18. That whatever stated above is true and correct to the best of my knowledge and
belief.

DEPONENT

IN THE HONORABLE HIGH COURT OF SINDH AT KARACHI

Criminal Bail App. NO. /201

The State…………………………………………………………………………
Complainant

V/S

Achar Baran…………………………………………………………………………
Accused

Panju S/O Achar Baran……………………………………………Surety Holder

APPLICATION FOR EXEMPTION

It is most reverently implored on behalf of above-named surety

holder that this Honorable Court may be pleased to exempt the appellant

from filling and production of the originals / certified copies of the

annexure, along-with the application for Return of Surety, as the same are

not ready with the Surety Holder, however, the photo copies of the same

are annexed with the memo of application.

It is, therefore, beseech for ample consideration of this application.


KARACHI.
DATED. ADVOCATE FOR SURETY HOLDER

IN THE HONORABLE HIGH COURT OF SINDH AT KARACHI

Criminal Bail App. NO. /201

The State…………………………………………………………………………
Complainant

V/S

Achar Baran…………………………………………………………………………
Accused

Panju S/O Achar Baran……………………………………………Surety Holder

I, Panju S/o Achar Baran , Muslim, adult, resident of Thatta, do hereby state on
Oath as under:-

1. That I am deponent herein and being Surety Holder in the above-noted matter, as
such, I am fully conversant with the facts to which I am deposing.

2. I say that the accompanying application has been drafted and filed under my
specific instructions.

3. I say that for the sake of brevity, the contents of accompanying application may
please be treated as part and parcel of this affidavit.

4. I say that until and unless the accompanying application may please be allowed, I
shall bound to suffer an irreparable loss.

5. That whatever stated above is true and correct to the best of my knowledge and
belief.

DEPONENT
IN THE HONORABLE HIGH COURT OF SINDH AT KARACHI
Criminal Bail App. NO. /201

The State…………………………………………………………………………
Complainant

V/S

Achar Baran…………………………………………………………………………
Accused

Panju S/O Achar Baran……………………………………………Surety Holder

APPLICATION FOR EXEMPTION

For facts, grounds and reasons disclosed in the accompanying

affidavit it is most respectfully prayed on behalf of the Surety Holder

above-named that this Honorable Court may be pleased to allow urgent

hearing of the above matter and same may please be fixed in court for

hearing on ________________ as a case of urgent motion, in the interest

of justice.

Prayed accordingly.

KARACHI.
DATED. ADVOCATE FOR Appellant

IN THE HIGH COURT OF SINDH AT KARACHI

IIND APPEAL NO. of 2019

Muhammad
Kamran………………………………………………………………….Appellant.

Versus

Learned VIth Additional District Judge,


East, Karachi & 03 Others……………………………………Respondents.

AFFIDAVIT

I, Muhammad Kamran S/o Muhammad Yaseen, Muslim, adult, resident of


Karachi, do hereby state on Oath as under:-

1. That I am deponent herein and being appellant in the above-noted matter, as such,
I am fully conversant with the facts to which I am deposing.

2. I say that the accompanying application has been drafted and filed under my
specific instructions.

3. I say that for the sake of brevity, the contents of accompanying application may
please be treated as part and parcel of this affidavit.

4. I say that it will be in the interest of justice to allow urgent hearing


of the above matter as a case of urgent motion in court.

5. I say that until and unless the accompanying application may please be allowed, I
shall bound to suffer an irreparable loss.

6. That whatever stated above is true and correct to the best of my knowledge and
belief.

DEPONENT
IN THE HIGH COURT OF SINDH AT KARACHI

NO.205 of 2019

Chaudhry Muhammad Yaseen……………………………………………Plaintiff.

Versus

Raja Khalil Ahmed & Others……………………………………Defendants.

APPLICATION UNDER 110 SINDH CHIEF COURT RULES

It is most reverently implored on behalf of above-named plaintiff

that this Honorable Court may be pleased to allow the urgent hearing

application in hand and whereby the above-noted civil suit may please be

fixed on 12-09-2019 for hearing as a case of urgent motion, as such, the

above-noted matter is already fixed on 09-09-2019, but on the fateful day

it is going to be declared Holiday on the occasion of 09 t h Moharam-ul-


Haram. It is, therefore, beseech, for ample consideration of this

application, in the larger interest of justice, equity & fair-play.

Prayed accordingly.

KARACHI.
DATED. ADVOCATE FOR PLAINTIF

IN THE HIGH COURT OF SINDH AT KARACHI

CIVIL SUIT NO.205 of 2019

Chaudhry Muhammad Yaseen……………………………………………Plaintiff.

Versus

Raja Khalil Ahmed & Others……………………………………Defendants.

AFFIDAVIT

I, Muhammad Rizwan S/o Chaudhry Muhammad Yasin Khan, Muslim, adult,


resident of Karachi, do hereby state on Oath as under:-

19. That I am deponent herein and being lawful attorney of appellant in the above-
noted matter, as such, I am fully conversant with the facts to which I am deposing.

20. I say that the accompanying application has been drafted and filed under my
specific instructions.

21. I say that for the sake of brevity, the contents of accompanying application may
please be treated as part and parcel of this affidavit.

22. I say that it will be in the interest of justice to allow urgent hearing
of the above matter as a case of urgent motion in court.

23. I say that until and unless the accompanying application may please be allowed, I
shall bound to suffer an irreparable loss.

24. That whatever stated above is true and correct to the best of my knowledge and
belief.

DEPONENT

IN THE HIGH COURT OF SINDH AT KARACHI


IIND APPEAL NO. of 2019

Muhammad
Kamran………………………………………………………………….Appellant.

Versus

Learned VIth Additional District Judge,


East, Karachi & 03 Others……………………………………Respondents.

APPLICATION UNDER SECTION 151 OF C.P.C FOR EXEMPTION

It is most reverently implored on behalf of above-named appellant

that this Honorable Court may be pleased to exempt the appellant from

filling and production of the originals / certified copies of the annexure,

along-with the memo of appeal, as the same are not ready with the

appellant, however, the photo copies of the same are annexed with the

memo of appeal.

It is, therefore, beseech for ample consideration of this application.

KARACHI.
DATED. ADVOCATE FOR APPELLANT

IN THE HIGH COURT OF SINDH AT KARACHI

IIND APPEAL NO. of 2019

Muhammad
Kamran………………………………………………………………….Appellant.

Versus

Learned VIth Additional District Judge,


East, Karachi & 03 Others……………………………………Respondents.

AFFIDAVIT

I, Muhammad Kamran S/o Muhammad Yaseen, Muslim, adult, resident of


Karachi, do hereby state on Oath as under:-
6. That I am deponent herein and being appellant in the above-noted matter, as such,
I am fully conversant with the facts to which I am deposing.

7. I say that the accompanying application has been drafted and filed under my
specific instructions.

8. I say that for the sake of brevity, the contents of accompanying application may
please be treated as part and parcel of this affidavit.

9. I say that until and unless the accompanying application may please be allowed, I
shall bound to suffer an irreparable loss.

10. That whatever stated above is true and correct to the best of my knowledge and
belief.

DEPONENT

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