Article-14(Drafted Appeal for VSS retiree w/o Pension)
"Attention"
All those PTCL non pensioners retired illegally by PTCL in VSS in-spite of having statutory rules provisions as that of the civil servants of Federal Govt , being transferred as regular employees from PTC to PTCL on 1-1-1996 , in accordance to ruling of Supreme Court in Masood Bhattie case Masood Bhattie& others (2012 SCMR 152).
Before filling writ petetions in the High Court under Article-199, it is very necessary that they should first sent the following appeal addressed to President PTCL & MD PTET under clear receipt to be presented in the High Court in case of filling their writ petitions for praying to direct PTCL & PTET to restore their pensions from the date when they were retired without pension illegally inspite of of having minimum qualified service of ten years or more for entitle of pension as per govt rules .This appeal should be sent after duly vetted by an experienced lawyer of the matter.
Modified Draft for the appeal of Non Pensioners PTCL retired employees in VSS schemes
A) For those who appointed in T&T Deptt on regular posts.
Date:-
To,
1) The President /CEO.
PTCL, PTCL H/Qrs
G-8/4
Islamabad
2) The MD PTET
Pak Telecom Employees Trust
. Tele-House, Mauve Area, G-10/4,
Kashmir Highway,
. Islamabad .
Subject:- Appeal/ Notice
Dear Sir,
I, ............s/o ............was appointed on regular post of .........grade ........on the date.........in Region........ of then Pakistan Telegraph & Telephone Department. Then after the establishment of PTC in December 1991 , my service had been transferred to PTC with other all employees of T&T department on the same terms & condition which I had in T&T department. On 1-1-1996 ,I stood transferred from PTC to PTCL ie in a new established company PTCL along with other employees in PTC and became the employee of PTCL wef 1-1-1996
Where as the Honourable Supreme Court of Pakistan , in her decision in Masood Bhattie case ie Masood Bhattie & others vs Federation of Pakistan & Others (2012 SCMR 152) declared that the PTCL employees who stood transferred from PTC to PTCL on 1-1-1996 ,will be governed by the statutory rules of Federal Government Pakistan and the terms and conditions of service of such PTCL employees can not be altered for their disadvantages ,but I was retired in VSS ............scheme vide your memo number. . . . without pension ,in spite of having proper length qualified service of ......years.......months .As according to Federal statutory Pension Rules (which were applicable to me in PTCL being transferred employee from PTC to PTCL on 1-1-1996) ,the minimum qualified service for having pension for a civil servant on retirement, is of ten years or more ie on such length of qualified service,a civil becomes entitle of pension on retirement.Thus the alteration in my pensionable qualified service from ten years to twenty years was the gross violation of my fundamental rights of which the PTCL had no any legal authority or power to do so.My terms and conditions of service could no be altered for my disadvantages as pension was the part of such terms & conditions of the service ( Section 19(1) of Govt Civil Servants Rules 1973).So in view HSC decision in Masood Bhattie case ie in (2012 SCMR 152) , you are requested to order for the restoration of my due pension wef from ............ie the date from which I was retired without pension , and also order to grant me all due arrears of my monthly pension to till date.However, If no any positive action has been taken within 15 days from the date of issuance of this notice then I will be constrained to knock the door court to get my legitimate rights.
Sincerely yours ,
Signature __________
Name:-
Ex-Designation :
Employee #:
CNIC#
Email:
Phone#:-
Cell#:-
Address:
:::::::::
B) For those who appointed on regular post in PTC
Date:-
To,
1) The President /CEO.
PTCL, PTCL H/Qrs
G-8/4
Islamabad
2) The MD PTET
Pak Telecom Employees Trust
. Tele-House, Mauve Area, G-10/4,
Kashmir Highway,
. Islamabad .
Subject:- Appeal/ Notice
Dear Sir,
I, ............s/o ............was appointed on regular post of .........grade ........on the date.........in Region........ of the then Pakistan Telecommunication Corporation (PTC). On 1-1-1996 ,I stood transferred from PTC to PTCL ie in a new established company PTCL along with other employees in PTC and became the employee of PTCL wef 1-1-1996
Where as the Honourable Supreme Court of Pakistan , in her decision in Masood Bhattie case ie Masood Bhattie & others vs Federation of Pakistan & Others (2012 SCMR 152) declared that the PTCL employees who stood transferred from PTC to PTCL on 1-1-1996 ,will be governed by the statutory rules of Federal Government Pakistan and the terms and conditions of service of such PTCL employees can not be altered for their disadvantages ,but I was retired in VSS ............scheme vide your memo number. . . . without pension ,in spite of having proper length qualified service of ......years.......months .As according to Federal statutory Pension Rules (which were applicable to me in PTCL being transferred employee from PTC to PTCL on 1-1-1996) ,the minimum qualified service for having pension for a civil servant on retirement, is of ten years or more ie on such length of qualified service,a civil becomes entitle of pension on retirement.Thus the alteration in my pensionable qualified service from ten years to twenty years was the gross violation of my fundamental rights of which the PTCL had no any legal authority or power to do so.My terms and conditions of service could no be altered for my disadvantages as pension was the part of such terms & conditions of the service ( Section 19(1) of Govt Civil Servants Rules 1973).So in view HSC decision in Masood Bhattie case ie in (2012 SCMR 152) , you are requested to order for the restoration of my due pension wef from ............ie the date from which I was retired without pension , and also order to grant me all due arrears of my monthly pension to till date.However, If no any positive action has been taken within 15 days from the date of issuance of this notice then I will be constrained to knock the door court to get my legitimate rights.
Sincerely yours ,
Signature __________
Name:-
Ex-Designation :
Employee #:
CNIC#
Email:
Phone#:-
Cell#:-
Address:
Signature __________
Name:-
Ex-Designation :
Employee #:
CNIC#
Email:
Phone:
Address:
:::::::::::::::::::::::::::
Note:-
Please note that
A) * to* and ** to ** are not for those who joined PTC directly or regularised in PTC .
B) Those who joined directly in T&T should struck off ^^ to ^^
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