-SAMPLE PETITION-
ANKARA SENTINEL FAMILY COURT ( )
THE REQUESTER :
ADDRESS :
ATTORNEY :
ADDRESS:
PHONE :
DEFENDANT :
ADDRESS :………
CASE VALUE : ………. TL
SUBJECT OF CLAIM : It consists in our request to compensate the client for the damage suffered due to the fact that the engagement between the parties was broken by the defendant’s decency.
INSTRUCTIONS
Plaintiff A… B… and defendant C…D…, …. By renting an engagement hall located at Batıkent Yenimahalle Ankara, ../../…. They were engaged in an engagement ceremony attended by the close circles of the parties in their history. Photos of the october ceremony in question are presented in the appendix. (APPENDIX-1)
After the engagement, home and wedding purchases began to be made; many expenses were incurred. However, as the marriage date approached, the defendant’s and his family’s attitude towards the client and his family began to change. The financial burden of the items taken was tried to be placed on the plaintiff client and his family; tensions dec between the parties.
The defendant’s family was involved in all the household items taken and caused tension between the parties. Thus, the defendant took a stand against the plaintiff client and began to disagree with the costs incurred. Despite all this, the plaintiff client continued to provide household items in the belief that they would still build a jul home.
Mutual friends of the parties who are aware of the defendant’s attitude to the client../…/…. During the conversation, the defendant suddenly rose up and the plaintiff started insulting the client and declared that he had broken the engagement. Friends of the parties also testified to this incident, and the witness list is presented in the october to our petition. (APPENDIX-2)
The defendant broke off the engagement for no justifiable reason, offended the client in the presence of close friends. With the current situation, the plaintiff client has experienced a major mental breakdown and has been left all alone in the middle.
Payments for items received both for the engagement ceremony and for the subsequent marriage union were left to the plaintiff client, and the client was financially harmed and left alone, as well as the damage he suffered spiritually. The client’s payments to the engaged salon, the cost of food/drinks and the invoices for the payments he has made are presented in october annex to this petition. (OCTOBER-October) However, he also bought many items for the marriage union by trusting the defendant, and the invoices for these items were also presented in the annex to this petition. (APPENDIX-4)
The defendant, who broke off the engagement without a justifiable reason, was obliged to compensate his client for this material damage caused by the fact that he had the right to file this lawsuit.
LEGAL REASONS: TMK, HMK, Law on Advocacy and other relevant legislation
EVIDENCE: Photos of the engagement ceremony, invoices for payments to the hall where the engagement was held, food/beverage costs and other engagement payments made, witness, invoices for items taken for use in the marriage union, witness, expert report, discovery and other all delail
CONCLUSION AND REQUEST: For all the reasons explained above; provided that our rights to request a surplus are reserved;
1- The defendant, who broke off the engagement for no justifiable reason, has harassed the client….. Collection of TL damages from the defendant with legal interest,
2-We request by proxy that the decision to leave the trial expenses and the power of attorney fee to the defendant be made. 11.01.2022
PLAINTIFF A… B… DEPUTY