TO THE COURT JUDICIARY
Plaintiff:
TURKISH IDENTITY NUMBER :
ADDRESS :
ATTORNEY:
(Legal representatives of the parties, if any)
ADDRESS :
(Legal representatives of the parties, if any)
DEFENDANT:
ADDRESS :
SUBJECT : It consists of a request for the cancellation of removal from inheritance.
DESCRIPTIONS :
1-) Our client’s father, deceased … …, died as a result of a traffic accident on …/…/…. (ANNEX 1)
2-) Our client has been deprived of inheritance pursuant to the will opened on …/…/… before our client and other heirs. In the will, our client’s marriage with … … and having common children, despite all the objections of the testator, are shown as grounds for disqualification.
3-) In Article 510 of the Turkish Civil Code No. 4721, it is stipulated that the heir can be excluded from the inheritance if he has committed a serious crime against the inheritor or one of the relatives of the legator, or if the heir has not substantially fulfilled his obligations arising from family law towards the legator or the family members of the legator. The reason put forward in the will is not among the reasons set forth in the law. Our client has neither committed a crime against the deceased or his relatives nor violated his obligations. Our client, who has maintained his relations with the deceased despite all his negative approaches, is also in a very close relationship with other members of the family and fulfills the responsibilities of being a family.
4-) For the reasons we have explained above, it has become necessary to apply to your court in order to cancel the disposition regarding the removal in the testament drawn up by the testator.
LEGAL REASONS :
LEGAL EVIDENCE:
CONCLUSION AND REQUEST: For the reasons we have explained above, we respectfully request on behalf of our client to cancel the disposition of the testator regarding the removal of our client from heirship, to charge the litigation expenses and attorney’s fee to the other party. …/ …/ …
Plaintiff’s Attorney
Hunting.