… TO DOMINATE
PLAINTIFF:
ATTORNEY:
DEFENDANT:
SUBJECT: It consists of our claim for compensation regarding the protection of the name.
DESCRIPTIONS
1- My client is a well-known and loved, dignified and calm person. He is a tradesman. He is someone who does not care much about his environment and does not harm anyone.
2- His neighbor, who was disturbed by our client’s indifference, named his dog after him in order to attract his attention and annoy him, and this name is written on his collar.
3- The defendant, who constantly calls his dog by my client’s name while walking his dog in the neighborhood, and does this especially during crowded hours and among other neighbors, shows that he did this on purpose and that he intended to humiliate my client.
4- My client, on the other hand, is deeply humiliated, uneasy and hurt by the situation.
5- For these reasons, we respectfully submit and demand that the defendant’s behavior against my client, which hurt my client, be stopped, and that the defendant be sentenced to pay compensation of … TL with the legal interest that will be accrued from the date of the lawsuit, due to this dishonorable act of the defendant against my client.
LEGAL REASONS: Civil Code, Code of Obligations and related legislation
EVIDENCE: Witnesses, Identity registration and all kinds of evidence
RESULT OF THE CLAIM: Due to the reasons we have explained above, it was decided to put an end to this act that was hurting my client, to pay the legal interest and non-pecuniary damages of … TL with the legal interest to be accrued from the date of the lawsuit, and to charge the other party with the court costs and attorney’s fee due to this dishonorable behavior of the defendant to my client. We respectfully supply and demand. ../../…
ATTORNEY'S ATTORNEY