
EXAMPLE OF A PETITION FOR ATTACHMENT
ANTALYA …. FIRST COMMERCIAL COURT
REQUESTING ATTACHMENT
(CREDITOR) :
PROVISIONAL :
THE OTHER PARTY (DEBTOR) :
SUBJECT OF THE REQUEST :.. TL is the request for a precautionary attachment decision to ensure our receivable.
FACTS :
1)Debtor …. given to the client by the debtor …. with a maturity of … and a value of 10.000 TL Maturity with a maturity of 10.000,00 TL, …. The 3 promissory notes with a maturity of 10.000 TL and a total amount of 30.000,00 TL have not been paid on maturity.
Our receivable is not subject to any collateral and the debt has not been paid until today even though it is due. Although the debtor has been contacted many times for the external collection of the receivable, this has not been successful.
2) As a result of the investigation, it has been learnt that the debtor has difficulty in payment and is attempting to liquidate his business. Since we are worried that we will start proceedings against the debtor and if he is aware of the execution proceedings, he will miss his property, it has become necessary to ask your Court to decide on the precautionary attachment of the debtor’s movable and immovable property and his rights and receivables from third parties in order to prevent this.
LEGAL REASONS :CPL, EBL and other relevant legislation
EVIDENCE :….. Original 3 promissory notes with a maturity of 10.000,00 TL, with a maturity of 10.000,00 TL, with a maturity of 10.000,00 TL, with a maturity of 10.000,00 TL, and any other legal evidence.
CONCLUSION AND REQUEST: For the reasons presented and explained above, I hereby request that our request be accepted and that the debtor’s movable and immovable property and the debtor’s rights and receivables in third parties be decided to sequestrate the amount that will meet our receivable, and that the costs and attorney fee be charged to the other party. (DATE)
Representative of the Creditor Requesting Precautionary Attachment
Av.
APPENDIX :
Certified copy of power of attorney