1
IN THE LAHORE HIGH COURT, LAHORE.
Crl. Misc. No.___________/H/2025
Bilawal Ali Raza son of Abaid Ur Rehman Butt,
resident of Sector-E, Mohallah Askari 10 Lahore Cantt
District Lahore.
PETITIONER
VERSUS
1. Station House Officer, Police Station Chung,
Lahore.
2. Station House Officer, Police Station Sarai Alamgir,
Lahore.
3. Station House Officer, Police Station Dinga, Gujrat.
4. Station House Officer, Police Station Race Course,
Rawalpindi.
5. Muhammad Sufyan Zafar son of Zafar Iqbal
resident of Mohallah Darzian Dinga Tehsil Kharian
District Gujrat.
RESPONDENTS
PETITION UNDER SECTION 491 CR.P.C. FOR
RECOVERY OF MST. BISMA D/O ABAID UR
REHMAN BUTT, SISTER OF PETITIONER FROM
THE ILLEGAL AND UNLAWFUL DETENTION
FROM RESPONDENT NO.5 AND TO SET HER AT
LIBERTY.
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Respectfully Sheweth: -
1. That names and addresses of the parities given in
the head note of this habeas petition are true and
correct for effecting services upon the parties.
2. That the brief facts of the case are that the
abductee aged about 20 years is the student of
the comsat university and she was residing in the
hostel of the university. On 13.01.2025 at 06:35
AM she checked out the hostel and since then she
is missed. In this regard the petitioner lodged an
FIR No. 324/25 in the police station chung u/s 365-
B PPC. However, the local police of the police
station Chung did not take any step for the
recovery of the detenue. It has come into the
knowledge of the petitioner that the detenue has
been abducted by the respondent No. 5 who kept
the detenue in his illegal custody. For detailed
story copy of FIR is attached herewith as
ANNEXURE-A.
3. That it also has brought into the knowledge of the
petitioner that the respondent No. 5 has
contracted marriage/Nikkah Nama with abductee
forcefully against her will.
4. That if the abductee has not produced before this
Honorable Court the education, career and life of
the abductee would be at stake in the hands of
respondent No. 5.
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5. That the petitioner approached the respondent No.
1 to 4 but they remained fail to recover the
detenue and even to listen the petitioner.
6. That the petitioner has left with no other
adequate, efficacious and speedy remedy except
to invoke the jurisdiction of this Honourable Court.
PRAYER:
Under the circumstances, it is therefore, most
humbly and respectfully prayed that a direction may
kindly be passed to the respondent No. 1 to 4 for the
production of the abductee and be produced before this
Honorable Court in the best interest of justice and
equity.
Any other relief which this Hon’ble Court may
deem fit may also be granted to the petitioner.
PETITIONER
Through
MUHAMMAD SUFYAN MUGHAL
Advocate High Court
13-Fane Road, Lahore
Cell No. 0323-4344555
CNIC No. 35103-2952256-3
Dated: 28.01.2025.
CERTIFICATE:
As per instructions of the petitioner this is First Habeas
Petition on the subject matter before this Hon’ble Court.
ADVOCATE
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IN THE LAHORE HIGH COURT, LAHORE.
Crl. Misc. No.___________/H/2025
Bilawal Ali Raza
VERSUS
Station House Officer and others
PETITION UNDER SECTION 491 CR.P.C. FOR
RECOVERY OF MST. BISMA D/O ABAID UR REHMAN
BUTT, SISTER OF PETITIONER FROM THE ILLEGAL AND
UNLAWFUL DETENTION FROM RESPONDENT NO.5
AND TO SET HER AT LIBERTY.
AFFIDAVIT OF: Bilawal Ali Raza son of Abaid Ur
Rehman Butt, resident of Sector-E,
Mohallah Askari 10 Lahore Cantt
District Lahore.
I, the above named deponent do hereby solemnly
affirm and declare as under: -
1. That names and addresses of the parities given in
the head note of this habeas petition are true and
correct for effecting services upon the parties.
2. That the brief facts of the case are that the
abductee aged about 20 years is the student of
the comsat university and she was residing in the
hostel of the university. On 13.01.2025 at 06:35
AM she checked out the hostel and since then she
is missed. In this regard the petitioner lodged an
FIR No. 324/25 in the police station chung u/s 365-
B PPC. However, the local police of the police
station Chung did not take any step for the
recovery of the detenue. It has come into the
knowledge of the petitioner that the detenue has
been abducted by the respondent No. 5 who kept
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the detenue in his illegal custody. For detailed
story copy of FIR is attached herewith as
ANNEXURE-A.
3. That it also has brought into the knowledge of the
petitioner that the respondent No. 5 has
contracted marriage/Nikkah Nama with abductee
forcefully against her will.
4. That if the abductee has not produced before this
Honorable Court the education, career and life of
the abductee would be at stake in the hands of
respondent No. 5.
5. That the petitioner approached the respondent No.
1 to 4 but they remained fail to recover the
detenue and even to listen the petitioner.
6. That the petitioner has left with no other
adequate, efficacious and speedy remedy except
to invoke the jurisdiction of this Honourable Court.
DEPONENT
VERIFICATION: -
Verified on Oath at Lahore on this 28 th day of January 2025,
that the content of above said affidavit are true and correct
to the best of knowledge and nothing has been concealed
therein.
DEPONENT
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IN THE LAHORE HIGH COURT, LAHORE.
Crl. Misc. No.___________/H/2025
Bilawal Ali Raza
VERSUS
Station House Officer and others
I N D E X
Sr Description of Annex Date Page
. Document
1. Habeas Petition 28.01.25
2. Affidavit of Habeas 28.01.25
Petition
3. Copy of FIR
4. Power of Attorney
PETITIONER
Through
MUHAMMAD SUFYAN MUGHAL
Advocate High Court
13-Fane Road, Lahore
Cell No. 0323-4344555
CNIC No. 35103-2952256-3
Dated: 28.01.2025.