…… TO THE COURT
PROSECUTOR :
ATTORNEY :
ADDRESS :
DEFENDANT :
ADDRESS :
SUBJECT : Our Statements About the Case.
INSTRUCTIONS
1-) The defendant, our client… against whom we have made … TL.despite the payment of …TL.due to the commencement of enforcement proceedings with a mortgage certificate, we filed a lawsuit and requested that the execution be canceled due to the performance of the debt.
2-) However, the defendant, …/…/… that we are at the hearing dated …TL.although he agreed to pay, he stated at the hearing that this debt had not been paid.
3-) It is an indisputable provision that the extension or modification of the defense is subject to the permission of the other party after the introduction of the merits of the case. And we’re on the other side of ‘… TL. we do not agree with his expansion of the defense in the form of ’not paid’. As a matter of fact, we have paid …TL.we present the payment receipts related to the business with this petition.
LEGAL REASONS : 1086 P. K. m. 202, 33 and related legislation.
LEGAL EVIDENCE : Payment receipts, witness statements and other evidence.
CONCLUSION AND REQUEST
For the reasons described above, we did not agree with the defendant to extend his defense that the debt was not paid at the hearing dated /…/… based on the evil eye, the creditor …TL.due to the payment of the FIRST. m. 33 in accordance with the provisions, we will provide and request the release of execution until the end of the case, the transfer of trial expenses to the defendant, and the decision to be made.
Acting Plaintiff