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Divorce Petition Requesting Legal Aid

Request For Correction Of Gender Registration

TO ALANYA FAMILY COURT JUDGE;

 

 

 

LEGAL AID IS REQUESTED

 

 

 

 

 

PLAINTIFF:

 

TR ID ID NUMBER:

 

ADDRESS:

 

DEPUTY:

 

ADDRESS:

 

DEFENDANT:

 

ADDRESS:

 

CASE VALUE:

 

SUBJECT: This consists of our petition regarding our benefit from legal aid, the divorce of the parties, and our requests for compensation and alimony.

 

OUR DISCLOSURES

 

1-) Our client and the defendant have been married since …, and from this marriage they have a joint child named …, aged … and … named …, aged …. The document containing the family population registration is attached to our petition.

 

 

 

2-) The defendant party had not been sufficiently attentive to his home and family before, was busy with his work, and for the last year, claiming that his business had deteriorated, he started to drink alcohol constantly and excessively, and seriously neglected both his work and his home. Although their marriage was unhappy from the beginning, our client tried to do her part as a spouse, was always the constructive side of the relationship, tried to help the defendant party and share the defendant party’s troubles. Despite this, the defendant responded to our client’s efforts to help him by using violence against our client. This issue will be clearly revealed during the trial phase, through the statements of witnesses who closely witnessed what happened and the medical reports that had to be obtained several times.

 

 

 

3-) In the light of these developments, it has also negatively affected the school lives of common children. At first, it caused their success in school to decrease, and recently, it caused them to not be able to continue school due to both lack of money and moral distress and pressure. The plaintiff, who was incapable of meeting the basic needs of her children, preferred to spend money on alcohol instead of these needs. Regarding the issue, the meeting minutes and report samples written by the school officials on various occasions are attached to our petition, and if deemed appropriate by your court, explanations regarding the situation will be given by the relevant persons whose names are included in the witness list.

 

 

 

4-) Since the current situation, which has been going on for a long time, has become unbearable for our client, it has become necessary to file this divorce case. The marital union between the parties has been shaken to its core due to the reasons mentioned and which have continued to increase in intensity for a long time. The parties do not have the opportunity to make peace or make peace.

 

 

 

5-) Our client is a housewife and has no income or support. For this reason, the documents regarding the request for legal aid made to the Bar Association on …/…/… and the documents proving the situation requested from him in response to this request have been submitted for your court’s examination as an attachment to our petition. As can be clearly understood by examining these documents, our client is not in a position to cover the costs of the trial. Therefore, first of all, we request that the request for legal aid be accepted for the benefit of our client.

 

 

 

6-) In addition to our request to benefit from legal aid, despite the divorce of the parties and all their good will, he was subjected to very hurtful and humiliating treatments and therefore he was forced to live a very morally distressed life for a long time, taking into account the principle of “pecuniary damage should not lead to enrichment”, for the benefit of our client… We request that the alimony be continued, the preventive alimony be continued as poverty and child support after the case, and the custody of the joint children be given to our client.

 

 

 

LEGAL REASONS: 4721 S. K. art. 166, 174, 175, 184, 4787 S. K. m. 4 and

 

6100 S. K. m. 334-340.

 

LEGAL EVIDENCE:

 

 

 

CONCLUSION AND REQUEST: For the reasons we have tried to explain above, first of all, it was decided that our client should benefit from the legal aid institution, as well as the divorce of the parties and for the benefit of our client, …-TL non-pecuniary compensation, and during the case, a total of …-TL precautionary alimony for himself and …-TL for each joint child, the continuation of the precautionary alimony as poverty and child support after the case, and the custody of the joint children to be given to our client. We respectfully request that it be granted. …/…/…

 

 

 

Plaintiff’s Attorney

 

Av.

 

You can also access our other article and petition samples by clicking here.

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