(((( NEW )))) IMPLEMENTATION PETITION/CONTEMPT OF COURT FILED IN THE FEDERAL SERVICE TRIBUNAL ISLAMABAD IN ORDER SHEET ISSUED ON 06.12.2010 AND CORRIGENDUM NO. 3561 DATED 24.03.2011 IN APPEAL NO. 774 TO 778 (CS)/2010 FILED BY MR. KHALID RIAZ & 4 OTHERS VS ESTT:DIVISION, FINANCE DIVISION, CONTROLLER GENERAL OF PAKISTAN AND ACCOUNTANT GENERAL KHYBER PAKHTUNKHWA. YOU ARE REQUESTED TO CONTRIBUTE YOUR SHARE AS EARLY AS POSSIBLE TO MEET THE EXPENSES OF THE COURT.
Monday, March 28, 2011
Friday, March 25, 2011
PROMOTION OF STENOGRAPHERS AS SUPRINTENDENT/ASSISTANT ACCOUNTS OFFICER (BPS-16)
BEFORE THE FEDERAL SERVICE TRIBUNAL ISLAMABAD.
APPEAL NO.1123(P)/CS/2010
KHALID RIAZ, STENOGRAPHER BPS-15 Office of the Accountant General Khyber Pakhtunkhwa, Peshawar.
VS
SECRETARY ESTABLISHMENT DIVISON
SECRETARY FINANCE DIVISON
THE CONTROLLER GENERAL OF ACCOUNTS.
APPEAL UNDER SECTION 4 OF THE SERVICE TRIBUNAL ACT, 1973.
Respectfully Sheweth,
APPEAL: FOR PROMOTION AS SUPERINTENDENT (ASSISTANT ACCOUNTS OFFICER) BS-17 AGAINST WHICH THE APPELLANT SUBMITTED DEPARTMENTAL APPEAL DATED 12.5.2010 WHICH HAS NOT BEEN RESPONDED TO DESPITE THE LAPSE OF STATUTORY PERIOD OF 90 DAYS. THE APPELLANT SUBMITTED HIS SERVICE APPEAL ON 09.09.2010 WHICH WAS RETURNED BY THE OFFICE OF REGISTRAR FOR RESUBMISSION ON OR BEFORE 24.9.2010 AFTER REMOVING CERTAIN DISCREPANCIES, HENCE THIS APPEAL WITHIN TIME.
PRAYER IN APPEAL
It is respectfully prayed that the instant appeal may graciously be accepted and the respondents may be directed that the appellant be promoted as Stenographer B-15 w/e/f 14.3.90 and promoted as Assistant Accounts Officer (Suprintendent) in BPS-16 against 10% quota and thereafter, allowed B-17 on up-gradation of rest of the Assistant Accounts Officers w.e.f. 3.4.2010 in the interest of service.
FACTS
1. That the Appellant joined the respondents organization on 31.12.1988 as Junior Auditor B-5. The Appellant was selected as Steno-typist B-12 on 14.3.90. The Appellant was further promoted as stenographer B-15 in 2009. The appellant has unblemished and clean track of service record for 22 years.
2. That two of employees of the office of the Director General, Audit Khyber Pakhtunkhwa were promoted as Superintendent and now they are Assistant Audit Officers B-16.
3. That the like to refer Notification 9.1.2008 where Dy.Suprintendent B-14, Senior Inteligence B-14 and Stenographer B-16 of Custom, salex Tax and Federal Excise Deptt promoted as Suprintendent B-16 with immediate effect. The Notification dated 9.1.2008.
4. That this Honourable Tribuanal has passed the judgment dated 17.7.2008 in appeal No.252(P)CS/2006 where the appellant has been provided the similar relief on the basis of FR 17 (I). The appellant deserved to be provided similar relief as enshrined in thejudgment of Hameed Akhtar Niazi Vs Establishment Division reported as 1996 SCMR 1185. Copy of the judgement of FST dated 17.7.2008.
5. That appellant submitted departmental appeal dated 12.5.2010 wherein the appellant requested that he may be promoted as stenographer B-15 w.e.f 14.3.90 and promoted as Assistant Accounts Officer (Suprintendent) in BPS-16 against 10% reserved quota for Stenographers. Further requested that he may also be allowed BPS-17 on upgradation of the rest of Assistant Accounts Officer w.e.f. 3.4.2010.
6. That the departmental appeal of the appellant has not been responded despite the lapse of statutory period of 90 days. The appellant submitted his service appeal on 9.9.2010 which was returned by the office of Registrar resubmission on or before 24.9.2010 after removing certain discrepancies. Hence this appeal within time.
G R O U N D S
1. That the appellant has the similar and identical case where he started his career as Junior Auditor and thereafter, selected as Stenotypist and promoted as Stenographer in the year 2009. The appellant has been left over due to inaction of department despite of the fact that the promotion has been made against the 10% quota. The copy of the relevant provision of the Esta Code is Attached. ESTA CODE 1990 EDITION.
2. That the action of the Department, prima facie, on the face of it reflects lack of bonafide suffering with arbitrariness which requires interference by this Honourable Tribunal for the sake of Justice where the Departmental is not implementing their own policy letter resulting in depriving the appellant of his promotion for a long time to the worst disadvantage in respect of his career advancement.
3. That the appellant is being penalized by the inaction on the part of the respondents without any fault on his part. It has been held in a case reported as 2006 TD (Service) 101 that no body should be penalized by the inaction of the public functionaries. Therefore, the remedial action against the inaction of the respondents is required for the sake of fulfilling his genuine legitimate expectancy for promotion against the sanctioned post.
4. That treatment of civil servants in accordance with law and unjust and fair manner in the matter of advancement of thier career is of permanent importance for good governance. Otherwise, his commitment to the job, dedication to duty, his power to take decision and even his integrity might be confined to a casualty ward. [Reliance is placed on 2004 TD (Service)49]/
5. That is has been held in a case reported as PLJ 2005 SC 435, that, "Government of Pakistan would secure well being of people by raising their standard of living and by ensuring equal adjustment of rights between employers and employees and providing all citizens within available resources of country facilities for work and adequate livelihood and reduce disparity in income and earning of the individual". Therefore, denying the opportunities of career prospects and promotion channel to the Telecommunication cadre against the sanctioned quota is not only frustrating but also a constant source of disturbance and disparity increasing untold miseries to the apppellant and such like officials of the Tele staff when they are rotting in the same grade for more than two decades. The discriminatory treatment meted out to the appellant is violative of Article 25 of the Constitution of Islamic Republic of Pakistan, 1973. Reliance is place on 2002 SCMR 71 & 82.
6. That the senor most stenotypist B-12 namely Mr.Muhammad Yousaf was promoted as Stenographer B-15 during 1987. Being eligible for promotion as Superintendent (AAO) B-16 against said 10% quota. On his promotion as Superintendent, the appeallant was eligible for promotion as Stenographer during 1990. It wuld be in the interest of justice that the appellant be promoted as Tenographer w.e.f 14.3.90 and promoted as Assistant Accounts Officer (Superintendent) in B-16 against 10% reserved quota for Stenographers and thereafter, allowed B-17 on up-gradation of rest of the Assistant Accounts Officers w.e.f. 03.04.2010 up hold the norms of justice.
KHALID RIAZ
APPELLANT
24.09.2010
THE CASE IS NOW IN THE FST NEXT DATE OF HEARING IS 08.04.2011
Thursday, March 24, 2011
Tuesday, March 22, 2011
CAN U HELP US IN THE UPGRADATION OF STENOGRAPHERS, STENOTYPISTS AND PRIVATE SECRETARIES?
Friday, March 18, 2011
Monday, March 14, 2011
Tuesday, March 8, 2011
CGA has Issued letter to Establishment Division for Implementation
On 08/03/2011 the CGA has issued a letter to Establishment Division for seeking Implementation.
The Establishment Division advised the CGA Office to send the Summary to Finance Division.
Thursday, March 3, 2011
APPEAL FOR IMMEDIATE FINANCIAL HELP
URGENT ---- URGENT ---- URGENT
Dear All Stenotypist, Stenographers and Private Secretaries. It is time to help me Financially becoz we are going to File Implementation Appeal in the Federal Service Tribunal. You are all requested to kindly Contribute your share and Deposit it in the Account of Khalid Riaz Account No. No.43287-3 National Bank Of Pakistan Bank code 0386 Cantt Brach Peshawar Cantt.
KHALID RIAZ
0333-9119966
Dear All Stenotypist, Stenographers and Private Secretaries. It is time to help me Financially becoz we are going to File Implementation Appeal in the Federal Service Tribunal. You are all requested to kindly Contribute your share and Deposit it in the Account of Khalid Riaz Account No. No.43287-3 National Bank Of Pakistan Bank code 0386 Cantt Brach Peshawar Cantt.
KHALID RIAZ
0333-9119966
Wednesday, March 2, 2011
Tuesday, March 1, 2011
REPLY/COMMENTS OF LAW DIVISION
Attention of the referring Division is invited to this Division's letter of even number dated 12.10.2010 whereby Government counsel (Mr.Javed Iqbal Wain) has already been nominated on Appeals No.774 to 778(P)CS2010 instituted by Khalid Riaz & others for up-gradation of the posts of Steno-typists & Stenographers before the Federal Service Tribunal and Tribunal vide its Order dated 06.12.2010 has already disposed of the appeals. The operative para of the order is as under:-
" The appellants are Steno-typists and Stenographers. Their request is that their post b e upgraded as has been done in other departments and the appellants should be considered by the Establishment Division, Controller General of Accounts and Finance Division Sympathetically, with this direction, the appeals are disposed of".
The reference may, therefore, be returned to the referring Division for further their decision/action.
Sd/-
Authority of Law Division
and case marked to
FINANCE DIVISION
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