TO THE PRESIDENCY OF ANTALYA COMMERCIAL COURT OF FIRST INSTANCE
PRECAUTIONARY CAUTION IS DEMANDED
Plaintiff:
ATTORNEY:
DEFENDANT: Undefeated
SUBJECT : Our petition includes our request for the cancellation of the check dated …/…./…… due to loss.
DESCRIPTIONS
List of Stolen Checks
X Bank X Branch, X Date, XXXX Amount, XX Check with XXX, Check with Serial Number XXX
X Bank X Branch, X Date, XXXX Amount, XX Check with XXX, Check with Serial Number XXX
X Bank X Branch, X Date, XXXX Amount, XX Check with XXX, Check with Serial Number XXX
X Bank X Branch, X Date, XXXX Amount, XX Check with XXX, Check with Serial Number XXX
X Bank X Branch, X Date, XXXX Amount, XX Check with XXX, Check with Serial Number XXX
EVIDENCE: Bank records, photocopies of checks, witnesses, police reports, and other legal evidence.
CONCLUSION AND REQUEST: With the acceptance of our case for the reasons we have briefly explained above and to be taken into consideration ex officio by your court, first of all, in order to prevent the payment of the checks belonging to our client, the photographs of which we have submitted in our petition, and the cancellation of the said check at the end of the case, in order to prevent the payment of the checks. we offer.
Plaintiff’s Attorney