The Request For The Prevention Of Confiscation Of The Immovable On Which The Transformer Was Built By Confiscating Without Expropriation - 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.
alanya,hukuk,bürosu,avukat,dava,danışma,mehmet,aşıkoğlu,mehmet aşıkoğlu,savcı,eski,ceza,ticaret,haciz,alacak,borçlar,Mehemet,Aşıkoğlu,alanya,avukat,hukuk,bürosu,alanya avukat, mehmet aşıkoğlu, alanya hukuk bürosu,Kerim Uysal,Kerem Yağdır,ahmet sezer, mustafa demir, hüsnü sert, jale karakaya, murat aydemir, ayşegül yanmaz
18828
post-template-default,single,single-post,postid-18828,single-format-standard,ajax_fade,page_not_loaded,,side_area_uncovered_from_content,qode-theme-ver-14.2,qode-theme-bridge,wpb-js-composer js-comp-ver-6.13.0,vc_responsive
 

The Request For The Prevention Of Confiscation Of The Immovable On Which The Transformer Was Built By Confiscating Without Expropriation

The Request For The Prevention Of Confiscation Of The Immovable On Which The Transformer Was Built By Confiscating Without Expropriation

… TO THE JUDGE OF THE COURT OF FIRST INSTANCE

PLAINTIFF :

TC IDENTIFICATION NUMBER :

ADDRESS :

Deputy :

(Legal representatives of the parties, if any)

ADDRESS :

(Legal representatives of the parties, if any)

DEFENDANT :

Address :

Subject: it is our wish to prevent the transfer of the transformer on which the hand is thrown without nationalization.

LITIGATION VALUE :

(In cases related to property rights)

INSTRUCTIONS :

1 -)……, ……………..address…….. name, …. the parcel is registered on behalf of our client. (Annex-1)

2 -) defendant party …/…/….. in its history, it intervened in the relocation by building a transformer on the real estate by throwing a hand without nationalization without a justified and valid reason.

3 -) since there is an intervention in terms of part of the real estate in question, our client has no opportunity to use the rest of the real estate or save money.

4 -) by our client to restore the property to the defendant…….. Notary public…./…./….. date ….. Journal no.lu he sent his warning (Annex-2). However, the defendant did not heed these warnings.

5) in order to prevent and restore the destruction of our client’s real estate, it was necessary to apply to your court.

Legal reasons: 4721 P. K. m. 683; 6100 S. K. m. 12, 199; 2942 P. K. m.11.

LEGAL EVIDENCE :

Land Registry
…….. Notary public…./…./….. date ….. Journal no.lu references
Expert
4.Discovery

Conclusion and request : for the reasons explained above, we respectfully request on behalf of our client that the decision be made to prevent and restore the property of our client,to burden the attorney’s fee and trial costs to the other party. …/ …/ …

October: 1. Land Registry

…….. Notary public…./…./….. date ….. Journal no.lu references
An example of an approved power of attorney.

Acting Plaintiff

Lawyer

No Comments

Post A Comment

GermanTurkeyRussiaFinlandIran