AN EXAMPLE OF A PETITION FOR A LAWSUIT REGARDING THE CLAIM OF A PROFESSIONAL FOOTBALL PLAYER - AŞIKOĞLU LAW OFFİCE
Aşıkoğlu started his position as the Alanya Public Prosecutor in 2009 and continued until 2013 when he quit his position to initiate his career as an attorney at law.
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AN EXAMPLE OF A PETITION FOR A LAWSUIT REGARDING THE CLAIM OF A PROFESSIONAL FOOTBALL PLAYER

AN EXAMPLE OF A PETITION FOR A LAWSUIT REGARDING THE CLAIM OF A PROFESSIONAL FOOTBALL PLAYER

TO THE COURT OF FIRST INSTANCE,

prosecutor :

TC IDENTIFICATION NUMBER :

address :

attorney :

(Legal representatives of the parties, if any)

address :

(Legal representatives of the parties, if any)

DEFENDANT :

ADDRESS :

THE VALUE OF THE CASE : …………….. TL

subject :

INSTRUCTIONS :

1- Between our client and dec defendant sports club, …./…./…. the “Professional Football Player Contract” with the start and …/…/… end dates has been signed. (ANNEX – 1) The relevant agreement …./…/… has been registered with the Turkish Football Federation in its history.

2- With the contract subject to the bet, our client receives monthly ….. TL fee, ……TL per match fee, and …./…. during the season …. in case of playing a match or more matches ……. it has been decided that an extra fee of TL will be paid.

3- Upon non-payment of the agreed fee of our client based on the contract in question, …….. Notary Public …../…./…. it is dated and…. notice No. evmiye The defendant sports club has been notified of the notice and has been informed that the contract will be terminated unilaterally. (APPENDIX – 2)

4- Upon the warning sent, it was reported that the contract was terminated unilaterally with the warning dated /… / … because the defendant party did not make any payments, and this termination process was registered with the Turkish Football Federation. (APPENDIX -3)

5- During the oral interview that the defendant conducted with our client, on the grounds of his internal field defeat, as well as disturbing the peace and discipline of the team ….. Although TL stated that it would be fined and that its fees would not be paid for this reason, we were not notified of the mentioned actions of our client and no notification was given to the Turkish Football Federation.

6- For the reasons explained above, we have been obliged to apply to the Dear Court for the collection of our receivables that have not been paid unfairly and without support.

LEGAL REASONS : 5894 P. K. m. 5, 6.

LEGAL EVIDENCE :

1-The agreement concluded between the parties … /… /… dated Dec

2- ../…/…. dated first warning

3- ../…/…. dated second notice

4-Expert Review

CONCLUSION AND REQUEST: Starting from the date of default of the TL …….., which our client will receive from the defendant sports club, for the reasons mentioned above and on the condition that we reserve the right to request and sue for an excess of monthly ………. we respectfully offer and request that it be decided that the collection, trial expenses and the attorney’s fee, together with the interest, will be charged to the respondent from the respondent. …/…/…

ANNEXES:

1-The agreement concluded between the parties … /… /… dated Dec

2- ../…/…. dated first warning

3- ../…/…. dated second notice

4-An example of a certified power of attorney

Plaintiff’s Attorney

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