Contempt Application format in Stay Order |
In the name of ALLAH, the most beneficent, the most
merciful
IN THE COURT OF MR.
NASAR ASGHAR ALI, LEARNED CIVIL JUDGE, RAWALPINDI
1.
Sabeel Ahmed Raja son
of Nabeel Ahmed Butt
2.
Tariq Ahmed Raja Khan
son of Kamal Ahmed Malik
All residents of Dhoke
Sada, Dakhli Seham, Post Office Saddar,
Applicants
Versus
1. Suleman Khan Malik
2. Sabeel Gulsher Malik both sons of Multan Khan
Both residents of Dhoke Sada, Dakhli Seham, Post Office Saddar,
Respondents
SUIT FOR DECLARATION, PERMANENT AND TEMPORARY
INJUNCTION
APPLICATION UNDER ORDER XXXIX RULE 3 OF
CPC FOR INITIATING CONTEMPT OF COURT PROCEEDINGS AGAINST THE RESPONDENTS
Respectfully
Sheweth,
1.
That the applicants/
plaintiffs had filed the above captioned suit along with application under
Order XXXIX Rule 1 & 2 read with section 151 CPC against the respondents/
defendants. The suit is still pending before this Honourable Court and is fixed for
"Defendants
are restrained from interfering into the suit property illegally and
unlawfully"
2.
That the respondents were duly served with summons and order of this Honourable Court, therefore, they are well
aware of the stay order but despite of issuance of stay order, the respondents
are not complying with the order of this
Honourable Court and are interfering
into possession of the applicants over
suit property, hence making mocker of law.
3.
That the respondents
by willfully disobeying the injunctive order after having knowledge and
receiving of summons/orders have rendered themselves liable to the offence of
contempt of Court.
4.
That the interests of
justice may be better promoted and honour of the court as well be vindicated by
proceedings against and handing out exemplary punishment to the respondents for
defying injunctive order of this Honourable Court.
PRAYER:
In view of above, it
is therefore, most humbly prayed that contempt of court proceedings may kindly
be initiated against the respondents, for violating the order of this Honourable
Court.
It is further prayed
that direction may kindly be issued to the respondents for restraining them from
interfering into possession of applicants / plaintiffs over suit property
Applicants
Through
Counsel
Advocate
High Court
IN THE COURT OF MR.
NASAR ASGHAR ALI, LEARNED CIVIL JUDGE, RAWALPINDI
Sabeel Ahmed Raja Versus Suleman
Khan Malik etc
SUIT FOR DECLARATION, PERMANENT AND TEMPORARY
INJUNCTION
APPLICATION UNDER ORDER XXXIX RULE 3 OF
CPC FOR INITIATING CONTEMPT OF COURT PROCEEDINGS AGAINST THE RESPONDENTS
AFFIDAVIT
I, Sabeel Ahmed Raja son
of Nabeel Ahmed Butt R/o Dhoke Sada, Dakhli
Seham, Post Office Saddar,
Rawalpindi, do hereby solemnly declare
as under:-
That the contents of the
accompanied application are true and correct to the best of my knowledge and
belief and nothing has been concealed therein.
Deponent
VERIFICATION:-
Verified on oath at Rawalpindi On
this ___Day of July, 2022 that the above deposition is
true and correct to the best of my Knowledge and belief.
Deponent
Download Contempt Application format in Stay Order |