IN THE COURT OF SESSION JUDGE, LAHORE.
Name , S/o, D/o Father Name , resident of
_____________________.
….Petitioner
`
V E R S U S
S.H.O. Police Station .......................................,
Lahore.
….Respondent
PETITION UNDER SECTION 22-A 22-B Cr.P.C. FOR REGISTRATION OF THE CASE
AGAINST THE CULPRITS.
Respectfully Sheweth:-
1. That for the purposes of
services of notices etc. to be issued from this Honorable Court, the complete
and correct addresses of the parties have been cited in the title of this
petition.
2. That the brief facts leading
to file the present petition are that the petitioner submitted an application
for registration of case against the culprit before respondent vide Diary No.
265 dated 01.08.2012 but the respondent has not registered the case against the
culprit and delayed the matter on one pretext or the other. Copy of application
is attached herewith as Annexure “A”.
3. That the act of the
respondent is malafide, illegal, unlawful and is the result of misfenace of the
respondent and the learned court has ample power to give the relief to the
petitioner and protect the right and title of the petitioner.
4. That the respondent is
legally bound to register the case on the complaint of the petitioner under
section 154 Cr.P.C. and to take legal action but he has not do so and the
petitioner placed relying on the latest judgments of Honorable Supreme Court of
Pakistan PLD 2007 S.C. 539. The act of the respondent is illegal, unlawful and
misusing of his powers.
5. That the culprits have
committed heinous offence which is cognizable and the respondent is legally
bound to register the case against the culprits.
6. That if the direction is not
issued to the respondent for registration of case against the culprits /
accused, the petitioner will suffer irreparable loss and injury.
7. That being aggrieved the
petitioner has no other adequate remedy to invoke jurisdiction of this Honorable
Court to redress the grievance of the petitioner.
P R A Y E R
It is, therefore, most respectfully prayed that petition very kindly be
accepted and direction may very kindly be given to the respondent to register
the case against the culprits under provisions of law and order for strict
action very kindly be taken against the culprit.
Any other relief which the petitioner is entitled may very kindly be
granted.
Petitioner
Through
Advocate
Dated:
IN THE COURT OF SESSIONS JUDGE, LAHORE.
In re:
VS S.H.O…………..
PETITION UNDER SECTION 22-A 22-B Cr.P.C. FOR REGISTRATION OF THE CASE
AGAINST THE CULPRITS.
AFFIDAVIT OF:
Muhammad Shan Son of Mubarak Ali Resident of ........, H. No. 05,
Street No. 9, Multan road, Lahore.
I above named deponent do hereby solemnly affirm and declare as under,
That the contents of accompanying petition are true and correct to the best
of my knowledge and belief and nothing has been concealed therein.
Deponent
VERIFICATION
Verified on oath
at Lahore this .......day of ........ 202.. that the content of
above affidavit are true and correct to the best of my knowledge and belief and
nothing has been concealed therein.
Deponent
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