Alanya Lawyer

Petition For Compensation For Non-Intervention

Petition For Compensation For Non-Intervention

COURT OF FIRST INSTANCE

THE PLAINTIFF :

ATTORNEY :

DEFENDANT :

SUBJECT OF THE CASE : Compensation lawsuit (…… TL)

FACTS : 1- The plaintiff client is the owner of the immovable property registered under …., ……. parcel number and the defendant is the owner of the land adjacent to it.

2- While the defendant was building on his own land, he also encroached on the immovable belonging to the client. The defendant has no right where he encroached. The defendant does not demolish the said building even though it has been banned by the court.

3- For these reasons, due to the defendant’s unjustified use of the client’s deeded land ……. TL due to the defendant’s wrongful use of the land belonging to the client.

LEGAL GROUNDS :

EVIDENCE : Land registry, discovery, expert examination and all kinds of evidence.

CONCLUSION AND REQUEST : According to the reasons and evidence presented above, I request that the lawsuit be accepted and the defendant be ordered to collect the compensation of …… (……) TL from the defendant, and that the costs and attorney’s fees be imposed on the defendant.

I would like to submit. Sincerely yours,

Counsel for the Plaintiff

Atty…………………

(SIGNATURE)

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Published by
Emine Peker