IN THE
COURT OF DISTRICT & SESSION JUDGE AT KARACHI CENTRAL
B.B.A. No. /12
Abdul GHANI
Son of
Abdul Sattar, Muslim,
adult,
R/o. House/Flat #,
inside Nairang Market,
liaqatabad,
Karachi. …………………..…………………… APPLICANT
VERSUS
The STATE ………………………………. RESPONDENT
FIR No. 37/10
U/S. 489-F PPC
P.S. Sharifabad
THIS IS FIRST BAIL
BEFORE APPLICATION
BAIL BEFORE ARREST APPLICATION
U/S. 498 CRPC
It is respectfully
submitted on behalf of the above named accused/Applicant that this Hon’ble
Court may be pleased to enlarge him on bail in consideration of the following
facts and grounds: -
BRIEF FACTS
As per an FIR, the Complainant, Shakir
Hussain stated:
“I reside, at
above mentioned address, run business of Scrape. About 1,1/2 years before, I
gave Srape Plastic valued of Rs.5,27,417/= to a person namely Riaz Ahmad, when
I demanded the said amount, he escaped to do so on one pretext to the other then
he gave a cheque bearing No. 5377633 dated 21/06/09 of valued of amount 25000/=,
when I produced the said cheque to encash then the related Bank refused/dishonored
being bounce cheque. Hence this report.”
GROUNDS
1.
That the Applicant is quite
innocent and story in this case is
false and fabricated by the complainant on instance of I.O of the case to humiliate and unjustified
harassment the
Applicant in the eyes of society, and there is apprehension to be arrested by the said I.O for the ulterior motives.
2.
That the Applicant is a business man and belongs to respectable family
this case has been made mala fidely for just to harass and humiliate in eyes of
the society, as there is an abnormal unexplained
delay of more than 1 years, one months (13 months) and 10 days in
lodging the FIR which shows that the story is manipulated and well conceived for the ulterior motives..
3.
That abnormal unexplained delay of more than 1 year, one month (13 months) and 10 days in
lodging the FIR, in the
circumstances hence this case has become
further inquiry.
3-A. That the Main accused has been acquitted in this Case by Learned Trial Court.
4.
That the allegation leveled in
the FIR is Civil nature case, while no Copy of the said cheque has been
annexed with FIR.
5.
That from perusal of the contents of FIR it is very clear that the
complainant has concocted a story, , and no prima facie case is made out
under Section 506-B/34 PPC which has been registered under the instructions of
TPO without taking into consideration and applying his mind on the contents of
the complaint.
6.
That the present crime is not punishable with 10 years or R.I or
more, hence it does no fall within ambit of prohibitory clause of section
497 Cr.PC.
7.
That the applicant is not a previous convicted nor a hardened
criminal and neither he will temper with P.Ws nor he will abscond and he
will join the prosecution for investigation, as he is permanent resident of
Karachi.
8.
That if the accused/applicant is not released on bail he will not be able to defend him properly and he
shall be suffered irreparable loss which cannot be measured monetarily and
will be humiliated in the eyes of the
society.
9.
That the applicant/accused is ready
to furnish solvent surety to the entire satisfaction of this Hon’ble Court.
10.
That other ground may be argued
at the time of hearing of this bail application.
PRAYER
It is, therefore,
most respectfully prayed that this Hon'ble Court may be pleased to grant him
bail before arrest under the fact and circumstances mentioned above.
Prayed accordingly
in the interest of Justice.
Karachi.
Dated: 11/06/12.
S M ZUBAIR
Advocate for the
Applicant
IN THE
COURT OF DISTRICT & SESSION JUDGE AT KARACHI CENTRAL
B.B.A. No._______/12
Abdul GHANI ……………………
APPLICANT
VERSUS
The STATE ………………………………. RESPONDENT
AFFIDAVIT
I, Abdul
GHANI Son of Abdul Sattar, Muslim, adult, R/o. inside Nairang
Market, liaqatabad, Karachi, do hereby state as under: -
1.
That I am The Applicant/Deponent of
this affidavit and as such am fully conversant with the facts of the matter
deposed herein.
2.
That I have filed no such Bail Before
Application before this.
3.
That the accompanying application has
been drafted and filed under my express instructions and the same may be
treated as part and parcel of this affidavit, the contents of the accompanied
application has not been reiterated for the sake of brevity.
4.
That unless the accompanying
application is not allowed I shall suffer irreparable loss, which cannot be
measured monetarily.
5.
That whatever stated above is true and
correct to the best of my knowledge and belief.
Karachi.
Dated: 11/06/12.
DEPONENT
CNIC #. ___________________________
The Deponent identified by me.
S M ZUBAIR
(ADVOCATE)
Solemnly
affirmed on oath before me at Karachi on this __ th day of _______ 2012, by
the deponent abovenamed who is identified by Mr. S M ZUBAIR, Advocate
whom I know personally.
COMMISSIONER FOR TAKING AFFIDAVITS
IN THE
COURT OF DISTRICT & SESSION JUDGE AT KARACHI CENTRAL
B.B.A. No._______/12
Abdul GHANI ……………………
APPLICANT
VERSUS
The STATE ………………………………. RESPONDENT
APPLICATION TO EXEMPT FILLING CERTIFIED
FIR
On behalf of the Applicant, it is respectfully
submitted that due to the circumstances beyond the control of the Applicant, he
was not able to file certified copy of FIR at the time of filling the Bail
Before Application, therefore, this Hon’ble Court may be pleased to condone/exempt
the Applicant from filling certified copy of FIR due to paucity of time.
Prayer is made in the greater interest of justice and equity.
Karachi.
Dated:11/06/2012.
S M ZUBAIR
Advocate for the Applicant
IN THE
COURT OF DISTRICT & SESSION JUDGE AT KARACHI CENTRAL
B.B.A. No._______/12
Abdul GHANI ……………………
APPLICANT
VERSUS
The STATE ………………………………. RESPONDENT
AFFIDAVIT
I, Abdul
GHANI Son of Abdul Sattar, Muslim, adult, R/o. inside Nairang
Market, liaqatabad, Karachi, do hereby state as under: -
1.
That I am The Applicant/Deponent of
this affidavit and as such am fully conversant with the facts of the matter
deposed herein.
2.
That the accompanying application has
been drafted and filed under my express instructions and the same may be
treated as part and parcel of this affidavit, the contents of the accompanied
application has not been reiterated for the sake of brevity.
3.
That unless the accompanying
application is not allowed I shall suffer irreparable loss, which cannot be
measured monetarily.
4.
That whatever stated above is true and
correct to the best of my knowledge and belief.
Karachi.
Dated: 11/06/12.
DEPONENT
CNIC #. ___________________________
The Deponent identified by me.
S M
ZUBAIR
(ADVOCATE)
Solemnly
affirmed on oath before me at Karachi on this __ th day of _______ 2012, by
the deponent abovenamed who is identified by Mr. S M ZUBAIR, Advocate
whom I know personally.