………….. TO THE JUDICIARY OF THE COMMERCIAL COURT OF FIRST INSTANCE
IN CASE OF LIABILITY
FOUND (CREDITOR):…………………..(T.C Identity Number:…………………)
ATTORNEY: Atty.
OPPONENT PARTY (DEBT) : ……………………. (TC Identification number:…………………)
…………………………………./IST
SUBJECT : It consists of a precautionary lien request.
AMOUNT OF RECEIVABLE :30.000.00 TL
DESCRIPTIONS :
1- Given to the client by the debtor ………… with a term of ../../2015, with a value of 10.000 TL, with a term of ../../2015, with a value of 10.000.00 TL, with a term of ../../2015, with a total amount of 10.000 TL 3 promissory notes worth 30.000,00 TL, not paid on due date.
2- Since the debtor is likely to smuggle property and change address, it has become necessary to demand precautionary lien for the seizure of the debtor’s movables, real estates, rights and receivables of 3rd parties, and the preservation of the movables, in return for the collateral deemed appropriate by your Honorable Court.
LEGAL REASONS: TTK and other legal regulations
EVIDENCE: 3 originals of promissory note with a maturity of ../../2015, with a value of 10.000.00 TL, with a term of ../../2015, with a value of 10.000.00 TL, with a term of ../../2015, with a value of 10.000.00 TL, other any legal evidence.
CONCLUSION AND CLAIM: For the reasons presented and explained above, I respectfully request by proxy that the debtor’s movables, real estates and the rights and receivables of third parties be precautionary in return for a suitable collateral.