
TO THE CIVIL COURT OF PEACE
PLAINTIFF: TR Number:
ATTORNEYS:
ADDRESS:
DEFENDANT:
TR ID ID NUMBER:
ADDRESS:
SUBJECT: This petition consists of our request for evacuation due to unnecessary occupation.
OUR EXPLANATIONS
1- The defendant, the property of which belongs to our plaintiff client and… He lives as a tenant in the apartment located at the address of …/…/… with a written rental agreement with a starting date of … TL per month.
2- The defendant rented the leased property to … on …/…/… even though there was a condition in the lease agreement that the leased property could not be transferred to anyone else.
3- Upon this situation, the plaintiff client notified the defendant with a notice from the Notary Public of …… dated …/…/… and journal number… that he did not consent to this matter and that the leased property should be restored within one month.
4- However, since the defendant did not restore the leased property despite this warning, this lawsuit had to be filed.
LEGAL REASONS: 6570 p. Law m. 12 and other relevant legislation.
LEGAL EVIDENCE: Lease agreement dated …/…/…, witness statements, notice, expert examination, other legal and discretionary evidence.
CONCLUSION AND REQUEST: For the reasons explained above, we respectfully and hereby submit and request that it be decided to evacuate the rented property where the defendant lives and to charge the defendant with the costs of the trial.
Plaintiff’s Attorney
Av.
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