
ALANYA FAMILY COURT JUDGE;
LEGAL AID IS REQUESTED
prosecutor :
TURKISH ID NUMBER :
address :
attorney :
address :
DEFENDANT :
ADDRESS :
CASE VALUE :
SUBJECT: Our benefit from legal aid consists of our petition regarding the divorce of the parties, compensation and alimony claims.
OUR EXPLANATIONS
1-) Our client and the defendant have been married since … the year, and from this marriage … named … age and … named … age … have joint children. The document, which includes the family population register, is presented in October of our petition.
2-) The defendant party has not treated his home and family adequately before, … has been busy with his work, and in the last … year, he has started drinking alcohol constantly and excessively, claiming that his business has deteriorated, and has seriously neglected both his work and his home. Although their marriage has been unhappy from the beginning, our client has tried to fulfill her part as a wife, has always been the constructive side of the relationship, has tried to help the defendant and share the defendant’s troubles. Despite this, the defendant responded to our client’s efforts to help him by using violence against our client every time. This issue will be made clear at the trial stage with the statements of witnesses who have closely witnessed what happened and the doctor’s reports that have to be taken repeatedly.
3-) In the light of these developments, it has also negatively affected the school lives of the joint children. At first, their success in school decreased, and recently, they have been unable to attend school due to both lack of money and spiritual distress and pressure. The plaintiff, who is unable to meet the basic needs of his children, preferred to give money to alcohol instead of these needs. Regarding the subject, interview minutes and report samples written by the school officials on various occasions have been submitted October our petition, and the names of the witnesses in the list of interested parties, if deemed appropriate by your court, an explanation of the situation will be given.
4-) Since the current situation, which has been going on for a long time, has now become unbearable for our client, it has become necessary to file this divorce case. The marriage union between the parties has been shaken from its foundation for the reasons mentioned and has been going on for a long time by increasing its Decency. There is no possibility of reconciliation or peace between the parties.
5-) Our client is a housewife and has no income and support. Therefore, the documents related to the request for legal assistance that he made to the Bar Association on …/…/… and the documents confirming the situation requested from him in exchange for this request have been submitted to the examinations of your court in October of our petition. As it is clear from the examination of these documents, our client has no situation to cover the costs of the trial. Therefore, first of all, we request that a decision be made on the acceptance of the request for legal aid in the interest of our client.
6-) as well as our demand for the divorce of the parties to benefit from legal aid despite all the goodwill and quite hurtful and was not subjected to humiliating treatment, and therefore for a long time because they have to be left to live a very difficult life from a spiritual standpoint, “moral damages should not cause getting richer” principle by considering our client … TL for the benefit of non-pecuniary damages at the trial for himself and each joint for TL …’er TL TL total measure of child support … , we request that it be decided that the precautionary alimony will continue as poverty and subsidiary alimony after the case, and that the joint custody of the children be given to our client.
LEGAL REASONS : 4721 P. K. m. PP. 166, 174, 175, 184, 4787. K. m. 4 and
6100 PP. K. m. 334-340.
LEGAL EVIDENCE :
Results and PROMPT : for the reasons Above we have tried to explain, Firstly, our client to benefit from the legal aid institution, as well as for the benefit of the parties to the divorce of our client-TL non-pecuniary damages at the trial for himself and each joint for TL …’er TL total …-TL measure child support, child support liens after the case of poverty, and the child support her in continuation to our client decided to give joint custody of the child, we will request that bilvekale respectfully. …/…/…
Plaintiff Attorney
Lawyer.
You can read our articles and petition examples by clicking here.
