
To the Criminal Court of Peace
PLAINTIFF (TENANT):
HIS LAWYER:
THE DEFENDANT (THE TENANT):
SUBJECT OF THE CASE :It consists of a request for termination of the lease agreement due to the death of the main tenant and the eviction of the tenant.
INCIDENTS :
1- Deceased of the defendants ………., my client was residing as a tenant in the apartment at the address ……, which belonged to the renter…… in the province …….., in the district …….., ……… in accordance with the dated lease agreement
2- Deceased ………, …….., ……… he has passed away on his date and the defendant. Heirs of the deceased are still residing in the real estate in question.
3- The lease agreement was terminated due to the death of the tenant. And the heirs who lived in the rented place had to vacate the rented place. ……… notary public’s …….. date and (………) although the numbered notification was withdrawn, no response was received from the defendants and they did not evacuate the rented property.
4- Since the lease agreement has been terminated due to the death of the tenant. It has become necessary to open this lawsuit for the eviction of the tenant.
LEGAL BASES:
EVIDENCE : …….. dated lease agreement, ………… dated Notary Public notification. And (…………) numbered, land Registry Records, witness statements and all kinds of legal evidence when necessary.
CONCLUSION AND REQUEST: With the acceptance of our case for the reasons mentioned above, I request the termination of the lease agreement due to the death of the original tenant on the date ……… and the rejection of the lawsuit by the defendants, who are the heirs of the defendants. the main tenant is evicted from the lease agreement and the trial expenses and attorney fees are left to the defendant.
I want to convey this request. Kindest regards,
Plaintiff’s Lawyer
Lawyer ………….
(SIGNATURE)
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