LEGAL NOTICE
Dear Sir,
Under the instructions and on behalf of my client ___________ son of_________________ , I, the undersigned advocate do hereby address you as under:- OR
I have been instructed by my clientess Mst.____,Karachi, to write you as under:-
1. That my abovesaid client’s relative namely Syed Arshad Ali s/o. Syed Hashmat Ali aged 55 years was admitted in Ward ICU/CCU=05,Case sheet No.003827, who was a cardiac patient.
2. That on 13.10.2001.at 0500hrs. The above patient/deceased was suffering from Cardiac attack, the attendance M.Zahid informed to Dr.Razzaq who was sleeping on a very next Bed ICU/CCU=06 but he did not like to disturb himself and he carried on sleeping and whole staff of ICU was also in sound sleep and he did not heed on this complaint and the said patient at last expired at 0700 hrs. and then the said Dr.came to examine after expiry of the said patient.
3. That the said patient was expired due to Dr.A.R`s negligence and the said Doctor made false report, and in this report cause of death, time of death has been mis-stated. P/c is annexed herewith.
4. That due to this act of negligency of said Dr. and staff on duty the said patient was expired which is a black spot prestige of the Hospital and this act falls under Section 302 PPC which is murder of humanity.
So, I hereby call upon you that the said doctor and staff is working under your kind supervision, to pay Rs.3,00,000/=(Rupees three Lacs) as damages to the legal heirs of the deceased and a qualified apology in writing within seven days from receipt of this notice .Please take notice that in default of your compliance my client will be compelled to take action either to prosecute you in criminal or civil court of law entirely at your risk as to costs and consequences. OR
It is, therefore, called upon you through this notice that you are bound to pay the maintenance allowance to my clientess @ Rs.3,00,000/=(Rupees three Lacs).
Yours Faithfully,
(S M ZUBAIR)
Advocate.
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