
TO THE HONORABLE COURT
…….
PLAINTIFF: …….
ATTORNEY: …….
DEFENDANT: None
SUBJECT: Request to shorten the waiting period.
EXPLANATIONS:
1-Our client was divorced by the decision of the ……. Civil Court of First Instance dated …….E., …….K. The decision is final.
2-Our client wishes to remarry. However, Article 95 of the Civil Code prevents this. The attached medical report also confirms that our client is not pregnant.
3-For these reasons, we request that the waiting period be shortened so that our client may remarry.
LEGAL GROUNDS: Civil Code and relevant legal provisions.
EVIDENCE: Population registry extract, the divorce decision and file of the …….District Civil Court dated …….E. and …….K., medical report, and all other legal evidence.
REQUEST: For the reasons stated above, we request that the waiting period be shortened, taking into account the divorce file and the doctor’s report.
PLAINTIFF’S ATTORNEY
