
……. TO THE HONOURABLE JUDGE
…….
CLAIMANT :…….
DEFENDANT :…….
DEFENDANT : No Adversary
SUBJECT: Request for shortening the duration of the period.
EXPLANATIONS :1-Our client ……. ……. date of the Civil Court of First Instance, ……. E., ……. Divorced with the decree numbered K. The decision has been finalised.
2-Our client wants to remarry. However, Article 95 of the Civil Code prevents this. It is also confirmed by the attached doctor’s report that our client is not pregnant.
3-For these reasons, we request that the duration of the period of the divorce be shortened so that our client can remarry.
LEGAL GROUNDS : M.K. and related articles of law.
EVIDENCE : Population record, ……., ……. of the Civil Court of First Instance ……. E. and ……. K. numbered and ……. dated divorce decision and file, doctor’s report and all kinds of legal evidence.
RESULT OF THE PETITION : For the reasons explained, we request a decision to shorten the duration of the divorce, taking into account the divorce file and the doctor’s report.
PLAINTIFF’S ATTORNEY
…….
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