EXAMPLE OF REQUEST FOR PROVISIONAL REMEDY

TO THE JUDICATURE OF THE COMMERCIAL COURT OF FIRST INSTANCE

REQUESTING PROVISIONAL REMEDY
(THE PAYEE) :…………………..(T.C Identification No:…………………)

ATTORNEY:

THE OTHER PARTY (THE BORROWER) :……………………. (T.C Identification No:…………………)
……………………………./IST
SUBJECT : It consists of a request for precautionary foreclosure.
AMOUNT OF RECEIVABLES : 30.000,00 TL

INSTRUCTIONS :
1- Debtor………… given to the client by ../../2015 term, with a price of 10.000 TL, ../../ with a 2015 maturity of 10,000.00 TL, ../../3 promissory notes with a total value of TL 30,000.00 with a maturity of TL 10,000 for 2015 have not been paid on maturity.
2- Since the debtor has the possibility of smuggling goods and changing addresses, the borrower has a sufficient amount of securities, real estate and real estate to be deemed appropriate by your court for collateral, sufficient for the debt 3. The foreclosure of the rights and receivables of individuals and the requirement to request precautionary foreclosure for the preservation of real estate have been obtained.

LEGAL REASONS: TCC other legal legislation

PROOFS : ../../2015 term, with a price of 10.000,00 TL, ../../2015 price, 10.000,00 TL, ../../ 2015 original 3 bills of exchange with a cost of 10,000.00 TL, all kinds of other legal evidence.

CONCLUSION AND CLAIM: For the reasons explained above, the borrower must have sufficient amount of securities, real estate and 3. I respectfully request that the rights and receivables of individuals be decided on provisional remedy in exchange for an appropriate guarantee.

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