10 Dec AN EXAMPLE OF AN ADDITIONARY DEFENSE PETITION FOR THEFT CRIME
TO THE … CRIMINAL COURT
FILE NO : …/… E.
DEFENDANT :
THE DEFENDER :
COMPLAINANT :
attorney :
SUBJECT : This is Our Petition, which Includes Our October Defenses of the Merits.
INSTRUCTIONS :
1-) About our client for theft …. Of The Chief State Prosecutor …. the case has been opened with indictment No. 1 and our client has not been aware of the case because he has been living abroad for many years and therefore has not had the opportunity to defend himself.
2-) As a result of the trial conducted in his absence, a decision was made to arrest him, and when he entered Turkey, he was caught and sent to prison.
4-) While this is the case, he/she is living abroad in the history of the alleged crime/…/… and it does not seem possible for him/her to commit the crime in question.
CONCLUSION AND REQUEST: For the reasons we have tried to explain above, we request by proxy that the accused client be acquitted of the crime of theft committed on him, and if the opposite conclusion is reached at the end of the evaluation by your court, the articles of law in favor of the accused client and the reasons for the legal discount be decided on the application of the accused client. …/…/…
Defensor
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