CIVIL COURT OF FIRST INSTANCE
PLAINTIFF:
ATTORNEY:
DEFENDANT:
SUBJECT OF THE CASE: Material damages (…… TL) due to infringement of the right to a name
FACTS: 1- The plaintiff is a well-known and respected author throughout the country under his client’s name and works.
2- Although the defendant’s real name is different, he/she intentionally uses the plaintiff’s name to write books.
3- Shortly before the plaintiff’s latest book was published, the defendant released a book under the plaintiff’s name, causing the plaintiff’s book sales to plummet and resulting in financial damage to the plaintiff.
4- It has become necessary to file this lawsuit to obtain compensation for the natural damage.
LEGAL GROUNDS:
EVIDENCE: Population records, published books, publishing house sales lists, witness statements, and all legal evidence.
CONCLUSION AND REQUEST: Based on the reasons stated above and the evidence presented, I request that the lawsuit be accepted and that the defendant be ordered to pay the material damages of … TL, plus the highest commercial interest rate from the date of the lawsuit, that our right to claim additional damages be reserved, and that the defendant be ordered to pay the costs and attorney’s fees.
I hereby submit this request. Yours sincerely,
Plaintiff’s Attorney
Attorney………………….
(SIGNATURE)
ATTACHMENT:

