TO THE HONORABLE COURT
…….
PLAINTIFF :…….
ATTORNEY :…….
DEFENDANT : None
SUBJECT : Request to shorten the waiting period.
EXPLANATIONS: 1-Our client was divorced by the decision of the ……. Civil Court of First Instance dated ……. E., ……. K. The decision is final.
2-Our client wishes to remarry. However, Article 95 of the Civil Code prevents this. It is also confirmed by the attached doctor’s report that our client is not pregnant.
3-For these reasons, we request that the waiting period be shortened so that our client can remarry.
LEGAL REASONS: M.K. and relevant articles of law.
EVIDENCE: Population registry, …….Civil Court of First Instance’s ……. E. and ……. K. numbered and ……. dated divorce decision and file, doctor’s report, and all other legal evidence.
REQUEST: Based on the reasons stated above, we request that the waiting period be shortened, taking into consideration the divorce file and the doctor’s report.
PLAINTIFF’S ATTORNEY

