Request For Transfer Of The Independent Section In Return For The Price
….. TO THE MAGISTRATE LAW COURT
THE PLAINTIFF :
ATTORNEY :
DEFENDANT :
CASE : Request for postponement of distribution due to fetus.
FACTS : 1- The plaintiff client is the spouse and heir of the deceased ……………..
2- With the death of the deceased, the plaintiff spouse was entitled to inheritance together with a number of other heirs as seen in the attached certificate of inheritance.
3- However, the plaintiff client is still pregnant and requests that the division of the inheritance be postponed until her birth.
For this reason, it has become necessary to make this request in order to postpone the division of the inheritance until the birth.
LEGAL GROUNDS :
EVIDENCE : Inheritance certificate, doctor’s report 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 division of inheritance be postponed until the birth of the fetus.
I would like to submit my request. Sincerely yours
Counsel for the Plaintiff
Atty………………….
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