Petition For Cancellation Of Disinheritance
COURT OF FIRST INSTANCE
THE PLAINTIFF :
ATTORNEY :
DEFENDANT :
SUBJECT OF LAWSUIT : The claim for annulment of disinheritance.
FACTS : 1- The plaintiff client is among the heirs of the muris ………… and the muris excluded the plaintiff from his inheritance in his lifetime. He willed my client’s share to the defendant. The testator clearly stated in the will that he excluded the client because he was incapable of paying debts.
In other words, my client has paid all his debts.
Therefore, it has become necessary to file this lawsuit.
LEGAL GROUNDS :
EVIDENCE : Decree of inheritance, will, witness statements and all kinds of legal evidence.
CONCLUSION AND REQUEST : According to the reasons and evidence presented above, I request that our lawsuit be accepted and the plaintiff’s exclusion from inheritance be canceled.
I would like to submit my request. Sincerely yours,
Counsel for the Plaintiff
Atty………………….
(SIGNATURE)

