Writ Against MEPCO
Writ Against MEPCO
Writ Against MEPCO
MULTAN.
W.P. No._____________/2002
Jang Sher S/o Khurshid Khan, R/o Basti Nathay Wala, Mauza
Dukhna Gharo, P.O. Karor Pakka, Tehsil & District Lohdran.
……PETITIONER
VERSUS
……RESPONDENTS
Respectfully Sheweth: -
1. That the names and addresses of the parties have correctly been
given for the purpose of their summons and citations.
2. That the petitioner is consumer of MPECO under electric meter
A/c No. 11782005/R/A-1, (domestic connection) within the
meanings of occupier/owner of the premises after the death of his
father named Khurshid Khan.
4. That the petitioner told the respondent No. 4 that the bore of
tube-well was damaged in 10/96 and the supply was duly got
disconnected which is apparent from the record of respondents
(Annex “B” for ready reference). The supply was never used
after 10/96. Mere application by consumer without actual
physical and utilization of energy would not make the
consumer/petitioner liable to pay flat rate charges as neither the
petitioner/consumer was informed about such sanction nor the
concerned functionaries of MEPCO ever implemented such order
and fed the computer any such information. Even if it was done
so, there seems to be no justification of charging on flat rate or
non-flat rate as the supply of tube well was physically
disconnected by MEPCO and was not used at all due to damage
of bore, which is also proved by the record of respondents
(Annex “C/1 to C/ ”). On above explanation, the respondent
No. 4 directed the petitioner to meet respondent No. 3 who
advised to see respondent No. 2, but inspite of rolling like a stone
in the above triangle of offices, the petitioner could not get the
supply restored till todate.
Prayer: -
HUMBLE PETITIONER,
Dated: .10.2002
Through: -
M. Ashraf Nadeem Sabri,
Advocate High Court,
28-District Courts,
Multan.
CERTIFICATE: -
It is certified that as per instructions of the
client no such petition has earlier been filed
before this Hon’ble Court.
Advocate
BOOKS: -
1. The Electricity Act, 1910.
2. The R.G.T.D. of the Electric Power Act, 1997.
IN THE LAHORE HIGH COURT, MULTAN BENCH,
MULTAN.
AFFIDAVIT of: -
Jang Sher S/o Khurshid Khan, R/o Basti Nathay Wala,
Mauza Dukhna Gharo, P.O. Karor Pakka, Tehsil &
District Lohdran, through Muhammad Sadiq (real son).
DEPONENT
Verification: -
Verified on oath at Multan, this _____ day
of October 2002 that the contents of this affidavit
are true & correct to the best of my knowledge
and belief. Nothing has been kept concealed
thereto.
DEPONENT
IN THE LAHORE HIGH COURT, MULTAN BENCH,
MULTAN.
In
W.P. No.____________/2002
Respectfully Sheweth:-
That certified copies of Annexes “A to D” are not
available. However, uncertified/photo state copies of the
same have been annexed with the petition, which are true
copies of original documents.
Dated: __________
Through: -
M. Ashraf Nadeem Sabri,
Advocate High Court,
28-District Courts,
Multan.
IN THE LAHORE HIGH COURT, MULTAN BENCH,
MULTAN.
AFFIDAVIT of: -
Jang Sher S/o Khurshid Khan, R/o Basti Nathay Wala,
Mauza Dukhna Gharo, P.O. Karor Pakka, Tehsil &
District Lohdran, through Muhammad Sadiq (real son).
DEPONENT
Verification: -
Verified on oath at Multan, this _____ day
of November 2002 that the contents of this
affidavit are true & correct to the best of my
knowledge and belief. Nothing has been kept
concealed thereto.
DEPONENT
IN THE LAHORE HIGH COURT, MULTAN BENCH,
MULTAN.
W.P. No.____________/2002
INDEX
PETITIONER
Dated: _________
Through: -
M. Ashraf Nadeem Sabri,
Advocate High Court,
28-District Courts,
Multan.
IN THE LAHORE HIGH COURT, MULTAN BENCH,
MULTAN.
Respectfully Sheweth: -
3. That this Hon’ble Court has very kindly called for reports by
respondents No. 3 & 4 within ten days vide order dated
14.10.2002.
HUMBLE APPLICANT,
Dated: _________
Through: -