Writ Petition on demarcation of land

Demarcation of land Writ Petition
Demarcation of land Writ Petition 

 

In the name of ALLAH, the most beneficent, the most merciful

 

Format of Writ Petition on Demarcation of land

 

If you have filed number of applications for demarcation of land to the Revenue Officer but no action has been taken on your application, you can file Writ Petition before the Honourable High Court, seeking direction to the concerned Revenue Officers for demarcation of land.  

 

 

 

BEFORE THE HONOURABLE LAHORE HIGH COURT RAWALPINDI BENCH, RAWALPINDI

 

W.P No. ________/2022

 

Farhan Ahmed Gull son of Mehmood Alam  R/O House No. 1, Street No. 1, Mohallah Shah Chan Chirgah, Rawalpindi

Petitioner

 

Versus

 

1.               DCO, Rawalpindi.

2.               Additional Collector, Rawalpindi.

3.               Assistant Collector, Rawalpindi.

                                                                            Respondents

 

 

WRIT PETITION UNDER ARTICLE 199 OF THE CONSTITUTION OF ISLAMIC REPUBLIC OF PAKISTAN, 1973.

 

The petitioners most respectfully submit as under:

 

1.                That the land measuring 12 Kanals 12 Marlas located in Khasra Nos. 420 measuring 5 Kanals shown in the revenue record (annexure A) as a Ghair Mumkin Qabristan according to Misl-e-Haqiat of year 2006-07 of Revenue Estate Jorrian Tehsil and District Rawalpindi  and Khasra No. 421  measuring 7 Kanals 12 Marlas (annexure B) shown as Ghair Mumkin Qabristan in the Revenue Record according to Misl-e-Haqiat of 2006-07. The  Revenue Estate of  Jorrian Tehsil & District Rawalpindi Total land measuring 12 Kanals 12 Marlas which had been reserved by the ancestors of the inhabitants of the said Mouza Jorrrian, as a common graveyard for the burial of dead bodies from the time remote past.

2.                That some influential vandals, by riding roughshod over the religious sanctity of graveyard  intend to trespass upon the reserve land of above Khasra numbers 420, 421 in utter in utter violation of law and ignoring the religious faith and sentiments of the petitioner and inhabitants of above village, which may bring about a breach of peace and emotional  ferment on account of on account of ill-mind of influential persons who  had  design on the graveyard in order to grab it.

 

3.                That the petitioner made so many oral and written request to local revenue authorities towards demarcation of aforesaid land of graveyard of above Khasra numbers because its boundaries are not specified but the revenue authorities took no serious notice of the issue and petitioner was given the run around each time of such requests.

 

4.                That it is the legal duty of respondents to look into the sensitive matter and to demarcate and separate the bounded lines of Khasra numbers of afore said land of graveyard in order to ward of future complications of rights of the inhabitants of the village which is in the interest of justice

 

5.                That there is no efficacious remedy  available to the petitioner except to invoke the jurisdiction of  this Honourable Court to seek justice.

 


PRAYER:

 

        In the circumstances, it is humbly prayed that writ may kindly be issued in favour of the petitioners,  directing the  respondents to demarcate the land of above graveyard  for ends of justice.

 

It is further prayed that any other relief or remedy as this Honourable Court deems proper, may kindly also be awarded to the petitioners.

 

Petitioners

 

Through

 

ARSLAN ALI BHATTI  

Advocate High Court

CC No. 210000

 

CERTIFICATE

 

As per instructions received, it is certified that this is the first writ petition on the subject matter, being moved in this honourable court.   

Counsel


BEFORE THE HONOURABLE LAHORE HIGH COURT RAWALPINDI BENCH, RAWALPINDI

 

W.P No. ________/2022

 

Farhan Yaseen                Versus     DCO, Rawalpindi etc.

 

 

WRIT PETITION UNDER ARTICLE 199 OF THE CONSTITUTION OF ISLAMIC REPUBLIC OF PAKISTAN, 1973.

 

AFFIDAVIT

 

I, Farhan Ahmed Gull son of Mehmood Alam  R/O House No. 1, Street No. 1, Mohallah Shah Chan Chirgah, Rawalpindi do hereby solemnly affirm and declare as under:

 

That the contents of the accompanying writ petition are true and correct to the best of my knowledge and belief and nothing has been concealed there from.

                                               

                                                              Deponent

                                               

       

Verified on oath at Rawalpindi on this _________November, 2022 that the contents of the above said affidavit are true and correct.

 

                                                                              Deponent


BEFORE THE HONOURABLE LAHORE HIGH COURT RAWALPINDI BENCH, RAWALPINDI

 

W.P No. ________/2022

 

Farhan Yaseen  Gull        Versus     DCO, Rawalpindi etc

 

 

WRIT PETITION UNDER ARTICLE 199 OF THE CONSTITUTION OF ISLAMIC REPUBLIC OF PAKISTAN, 1973.

 

 

INDEX

S. No.

Description of Documents

Annex

Pages

1.

Court Fee

 

A

2.

Writ petition with affidavit

 

01-05

3.

Register Haqdaraan Zamin Khasra No.420, 421

A and B

06-11

4.

Applications for demarcation

 

12-16

5.

Shajra Kishtwar

 

17

6.

Wakalat Nama

 

18

 

 

Petitioner

 

Through

 

ARSLAN ALI BHATTI  

Advocate High Court

CC No. 210000

 

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