PETITION OF CONSENSUAL DIVORCE

TO THE HONORABLE JUDICATURE

PLAINTIFF :…….

ATTORNEY:…….

DEFENDANT :…….

ISSUE : …….our Request for Collection of Hk.

EXPLANATIONS : My client and the defendant ……. address ……. Province ……. County ……. Quarter ……. Name, …….Die, ……. they are the owner and stakeholder of the floor easement of the immovable property registered in the title deed on the parcel.

../../…. in accordance with the dated contract, the defendant must pay in order for the construction to begin ………..-He has not paid TL to this day, and in this regard …… his notary’s office, ../../…. the date and the ……. date of notification also did not give results.

This attitude of the defendant has left my client and other floor easement owners in a difficult situation. As a result of the defendant’s failure to fulfill his/her obligation, the construction cannot be started and the construction costs are increasing every day and causing damage to my client.

From the defendant who violated the contract …………- For the collection of TL, it was necessary to open this case.

LEGAL REASONS : Condominium Law And Related Legislation

EVIDENCE : Land registry, Contract, Notice

THE RESULT OF THE REQUEST: The defendant is obliged to pay for the reasons provided ………- TL../../…. we sincerely hope and demand that it is decided to collect from the defendant together with the legal interest from the date of the trial, to transfer the trial expenses to the defendant, and to determine the counterparty proxy fee on our behalf in accordance with paragraph 164 / last amended by Law No. 4667 of the Law No. 1136 on Advocacy Law No. 1136. …….

PLAINTIFF’S ATTORNEY

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