…….YOUR HONOR
Plaintiff :…….
ACTING :…….
RESPONDENT :…….
Subject: our demand for Land share correction Hk.
Remarks : My client……. address ……. Province ……. County ……. Quarter ……. die, ……. name, ……. on the parcel registered to the deed anataşınmaz…. he is the owner of independent division number one.
The land share of the independent section of which my client is the owner was wrongly calculated and registered in the title deed as such. This fallacy applies within the plot shares of other independent chapters.
The miscalculation of the land shares of my client and other independent departments leads to problems with the payment of common expenses.
In order to resolve these problems, it is necessary to open this case.
Reasons: condominium law and related legislation
Evidence: Land Registry, Management Plan
As a result of the request : we respectfully supply and demand that the acceptance of our case for the reasons provided, the costs of the trial be imposed on the defendant, the provision of the attorney’s fee to the opposing party in accordance with the amended 164/last paragraph of the Law No. 4667 of the Law No. 1136 be decided on our behalf as a lawyer. …….
ACTING PLAINTIFF
17. Law Office 2018/1547 E. , 2018/12611 K. “text of jurisprudence” COURT : Court of…
ARTICLE 402 OF THE CCP (1) The request for the determination of evidence shall be…
ARTICLE 400 OF THE Civil Procedure Code (1) Each of the Parties may request that…
SUPPORT OF PARENTS TO THEIR CHILDREN 1- GENERAL RULE According to the decisions of the…
11. Apartment 2001/2549 E. , 2005/183 K . “text of jurisprudence” T.C. COUNCIL OF STATE…
17. Law Office 2016/11461 E. , 2019/7615 K. “text of jurisprudence” COURT : Court of…