
FAMILY COURT
THE PLAINTIFF :
ATTORNEY :
DEFENDANT :
CLAIM : It consists of a claim for non-pecuniary damages due to the breakdown of the engagement.
FACTS : 1- The client ………….. and the defendant ………….. got engaged 3 years ago. Although their relationship during their engagement period was very good, the defendant got engaged to someone else without any reason and without any justification, without informing the client that he broke the engagement about a month ago.
2- After the engagement was officially broken off between the families, the client went into psychological depression, was humiliated among her friends and neighbours, and became unable to go out in public because of the defendant’s behaviour.
3- For this reason, my client has become unable to continue her work and has been offended in public. The necessity of filing this case for non-pecuniary damages has arisen due to the psychological depressions and the pressures felt in the society due to the engagement that has been disrupted for no reason and completely due to the defendant’s fault.
LEGAL GROUNDS :
EVIDENCE : Engagement photos, witness statements and all kinds of evidence.
CONCLUSION AND REQUEST : With the acceptance of our lawsuit according to the reasons and evidence presented above; I respectfully request and demand by proxy that the …….. (………) TL non-pecuniary damages be collected from the defendant together with the highest deposit interest to be processed from the date of the lawsuit in order to compensate for the moral damages suffered by my client due to the defendant’s disruption of the engagement, and that the judicial expenses and attorney’s fee be imposed on the defendant. ../../..
Plaintiff Attorney
Hunting……………….
(SIGNATURE)
ANNEX: