
………….. TO THE JURISDICTION OF THE PRINCIPAL COMMERCIAL COURT
IN CASE OF LIABILITY
(Creditor):…………………..(TR Identity Number:…………………)
LAWYER: Lawyer
AGAINST PARTY (DEBTOR) : ………………………. (TR Identity Number: …………………)
……………………………………./IST
SUBJECT : Consists of a precautionary attachment request.
RECEIVABLE AMOUNT : 30.000,00 TL
EXPLANATIONS :
1- 3 unpaid promissory notes worth 30.000,00 TL with a value of 10.000,00 TL, a maturity of 10.000,00 TL, a maturity of 10.000,00 TL, a maturity of 10.000,00 TL and a total value of 10.000 TL, which were given to our client by the debtor ………….
2- Since there is a possibility that the debtor may smuggle goods and change his address, it has become necessary to request a precautionary attachment for the attachment of the debtor’s movable properties, real estates, rights and receivables of third parties and for the preservation of movable properties, against the security that your Honorable Court will deem appropriate.
LEGAL REASONS: TCC and other legal regulations
EVIDENCE: 3 original promissory notes due …/../. 2015 with a value of 10.000,00 TL, due ../../. 2015 with a value of 10.000,00 TL, due ../../. 015 with a value of 10.000,00 TL, any other legal evidence.
CONCLUSION AND CLAIM: For the reasons explained and explained above, I respectfully request the precautionary attachment of the debtor’s movable and immovable property and its rights and receivables from third parties against an appropriate collateral.
Translated with DeepL.com (free version)
