… TO THE ATTORNEY GENERAL’S OFFICE
CONVICT :
Defense :
CRIME :
Subject : leaving the execution of the sentence given against our client behind
and it’s our petition that includes our eviction request.
INSTRUCTIONS :
1 -) about our client … / … / … on the date … with the acceptance of the file of the prosecutor’s Office … / … preparation (October-1)…. …… Court …/…. E. a public case has been filed for his crime with his numbered file … / … / … about our Client … / … k. by Decision No. (October-2)……. He has been sentenced to years in prison, and in terms of the execution of this sentence, our client has been …/…/… since the date of his death…………… Are in prison. (October-3)
2 -) Our client, the punishment given about….. the hospital is now in the process of October. As can be seen in the report issued by the medical board and approved by the Forensic Medical Institution (October-4), our client ………………….. he’s got a disease.
3 -) Law No. 5275 on the execution of criminal and security measures entitled “postponement of execution of prison sentence due to illness” 16. References,
“Exposed a severe illness or disability because of the penitentiary institution and community safety in the conditions of life alone and unable to sustain heavy evaluated in terms of her sentence in accordance with the procedure specified in the third paragraph tangible compromise prisoner can be postponed until you are recovered.”there is an arrangement in the form.
4 -) in the Opinions section of the Health report, it is also stated that it does not seem possible for our client to sustain his life alone due to the discomfort he has suffered, that he constantly needs the care of a person, that his treatment can only give positive results if a life opportunity is provided in this way.
5 -) the execution of the sentence of our client, who was severely ill for the reasons described, is backward
he had to ask for a decision on his release and release.
Legal reasons: 5275 P. K. m. 16, 17, 18.
Conclusion and request : for the reasons explained above, we respectfully demand that the execution of the sentence of our client, who is suffering from a severe illness, be postponed and the decision to evacuate, on behalf of our client. …/ …/ …
Annexes: 1 -) … File of the prosecutor’s Office of the Republic …/… preparation October
2-) …. …… Court …/…. E. … / … K. no decision
3-)………….. Prison records
4 -)…… Hospital…. A report issued by the Medical Council and approved by the Forensic Medical Institution
5 -) one sample of approved power of attorney
Convict Defense
LAWYER