
….. TO THE MAGISTRATE OF THE CIVIL COURT
WHISTLEBLOWER (PLAINTIFF) : TC No:
address :
THE WHISTLEBLOWING DEPUTY :
address :
THE DEFENDANTS ARE: Adversarial.
SUBJECT : Our client … … includes our request to appoint a trustee to represent the minor child in the paternity case that he will open, consists of submitting our petition.
OUR EXPLANATIONS
1-) From the fact that our client … … is having an unmarried relationship ……../../…. in his history, he was born into a small … … world. ….. There is a birth certificate taken from the hospital.
2-) The 1-year period stipulated in the law for our client to file a paternity lawsuit has not yet expired. Therefore, in the paternity case filed by our client, his interests conflict with the minor child’s interests.
3-) We have been obliged to notify your court with this petition in order to request that a trustee be appointed to represent the minor in the paternity case that we will open on behalf of our client.
LEGAL REASONS : 4721 p. K. m. 301, 303, 426, 6100 Pp. K. m. 119
LEGAL EVIDENCE : 1-) The birth report taken from the little ……’s … Hospital.
CONCLUSION AND CLAIM : Due to the reasons we have explained above and the paternity lawsuit we will file on behalf of our client, we respectfully request that your court appoint a trustee for küçük … … because his interests will conflict. …/…/….
ADDITIONAL:
The Whistleblowing Deputy
Lawyer.
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