TO THE MAGISTRATE LAW COURT
PLAINTIFF (LESSOR) :
DEFENDANT :
DEFENDANT (TENANT) :
SUBJECT OF THE CASE : It consists of the request for the termination of the lease agreement due to the death of the main tenant and the evacuation of the leased property.
FACTS : 1- ………., the deceased of the defendants, was residing as a tenant in the flat, the ownership of which belonged to my client, the Lessor ……, located at the address …….., …….. district ……., in accordance with the lease agreement dated ………
2- The deceased of the defendants ……… died on …….. and the defendant heirs of the deceased still reside in the said lease.
3- Due to the death of the tenant, the lease agreement. Was terminated and the heirs residing in the leased premises were required to evacuate the leased premises …….. Although the notice dated ……… and numbered (………) of the Notary Public ……… was drawn, there. Was no response from the defendants and they did not evacuate the leased property.
4- Since the lease agreement. Has been terminated due to the death of the tenant. It has become necessary to file this lawsuit for. The evacuation of the leased property.
LEGAL GROUNDS :
EVIDENCE : Lease agreement dated …….., ………… Notary’s notice dated ………. and numbered (…………), Land Registry Records, witness statements and all kinds of legal evidence when necessary.
CONCLUSION AND REQUEST : For the above-mentioned reasons. With the acceptance of our lawsuit, I request that the lease agreement be terminated. Due to the death of the original tenant on ………, and that the defendants. Who are the heirs of the original tenant. Be evicted from the lease, and that the trial costs and attorney fees be left on the defendant.
I would like to submit. Sincerely yours,
Plaintiff’s Counsel
Lawyer………………..
(SIGNATURE)
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