TO THE HONORABLE JUDICATURE
PLAINTIFFS :…….
ATTORNEYS:…….
DEFENDANT :…….
SUBJECT : Cancellation of the Share of the Decoupled Plot
EXPLANATIONS : My Clients …….. address ……. Province ……. County ……. Quarter ……. die, ……. name, ……. it is located on the main stone that is registered in the title deed on the parcel …. they are the owners of independent departments no. The defendant is the owner of the independent division No. 1 in the same real estate.
The defendant is not independent ../../…. since ……. he is operating as an employee and harasses and harms my clients.
Verbal warnings to the defendant to correct his behavior, which had become unbearable, were fruitless, and he was asked by his notary …………………./../…. history and ….. notice No. 5 has been posted. This is a pink slip, despite the defendant’s independent portion ………. it has continued to operate as a.
For these reasons, it was necessary to open this case in order to transfer the ownership of the independent part of the defendant on behalf of my clients.
LEGAL REASONS : Condominium Law and Related Legislation
EVIDENCE : Land Registry, Notice, Witness Statements
AS A RESULT OF THE REQUEST: We sincerely supply and request that the decision be made to transfer the shares on behalf of my clients at the rate of their shares, to transfer the trial expenses to the defendant, in accordance with the 164 / last paragraph of the 1136 Law No. 4667 of the Law No. 4667 on behalf of the defendant’s independent part be paid, and that the counterparty proxy fee be decided on our behalf as a Lawyer. …….