FAMILY COURT
THE PLAINTIFF :
ATTORNEY :
DEFENDANT :
CLAIM : Request for the right arising from the contribution. (….)
FACTS : 1- The plaintiff client and the defendant are husband and wife.
2- While the property separation regime was being applied between the spouses, they changed the property regime and switched to another regime.
3- The plaintiff client has made a great contribution to the acquisition and improvement of ………………… belonging to the defendant gratuitously. For this reason, he has the right to this property at the rate of increase in value.
In order to ensure this right, it has become necessary to file this lawsuit.
LEGAL GROUNDS :
EVIDENCE : Civil registry records, property regime agreements, witness statements and all kinds of evidence.
CONCLUSION AND REQUEST : According to the reasons and evidences presented above, I respectfully request and demand that the lawsuit be accepted and that the defendant be awarded ….. (…….) TL arising from his contribution to ………………… from the property belonging to the defendant, that the right to demand more is reserved and that the court costs and attorney’s fees be imposed on the defendant. ../../..
Plaintiff Representative
Hunting………………..
(SIGNATURE)
ANNEX: