… ….. TO THE CIVIL COURT
prosecutor :
TC IDENTIFICATION NUMBER :
ADDRESS :
attorney :
(Legal representatives of the parties, if any)
DEFENDANT :
ADDRESS :
SUBJECT : Cancellation of the Certificate of Inheritance Consists in Our Request.
OUR EXPLANATIONS :
1-) Our client’s aunt, registered in the population of …and …passed away on …/…/… date.(APPENDIX 1)
2-) Although the defendant received a certificate of inheritance as if he were the heir of murisin, the defendant does not have a relationship with the trustee as mentioned in the certificate of inheritance.(APPENDIX 2)
3-) For this reason, and since our client is the sole heir of the muris, the obligation to open this case has arisen.(APPENDIX 3)
LEGAL REASONS : 4721 P. K. m. 598 and 6100 pp. K. m. 1, 2, 5, 6, 19, 119.
LEGAL EVIDENCE :
1-) …/…/… copy of death certificate and burial permit dated
2-) Received from the magistrate’s court …./…/…the decree of succession dated
3-) Population Registration Sample
4-)Shows the names and addresses of the witnesses and the topics they will testify to witness list
shows witness list
CONCLUSION AND REQUEST: We respectfully request on behalf of our client that the decision be made to cancel the probate decision subject to the lawsuit, to charge the trial expenses and the power of attorney to the other party for the reasons we have explained above. …/ …/ …
ECLAIR:
1- …/…/… dated death certificate and copy of the burial permit
2-) Received from the Magistrate’s court …./…/…the decree of succession dated
3-) Population Registration Sample
4-) Shows the names and addresses of the witnesses and the topics they will testify to witness list
5-) An example of a certified power of attorney
Deputy Plaintiff