
…JURISDICTION OF THE PRINCIPAL COMMERCIAL COURT
IN CASE OF LIABILITY
(CREDITOR):……………….. TO THE JURISDICTION OF THE PRINCIPAL COMMERCIAL COURT
LAWYER: Lawyer
COUNTERPARTY (DEBT) : ……………………. (TC ID No:…………………)
……………………………………./IST
SUBJECT: It consists of a request for provisional attachment.
AMOUNT OF CLAIM: 30,000.00 TL
EXPLANATIONS:
1- The Borrower……….. Which was given to the client by../../ 2015 term, in the value of 10.000,00 TL, ../../2015 term, ../../2015 term, valued at 10,000.00 TL, ../../ 2015 term, 3 outstanding promissory notes with a total value of TL 10,000 and a total value of TL 30,000.00 paid at maturity.
2- Since there is a possibility that the debtor may evade assets and change address, the debtor’s movable assets, real estate, 3rd there is a possibility that the debtor may evade assets and change address, the debtor’s movable assets, real estate, 3rd It has become necessary to request a precautionary attachment in return for the security that your Honorable Court will deem appropriate, in order to attach Since there is a possibility that the debtor may evade asse- Since there is a possibility that t Since there is a possibility that the debtor may evade assets and change address, the debtor’s movable assets, real estate, 3rd It has become necessary to request a precautionary attachment in return for the security that your Honorable Court will deem appropriate, in order to attach the rights and receivables of the individuals and to protect the movable goods.
LEGAL REASONS:
TCC and other legal regulations
EVIDENCE: Due ../../ 2015, value 10.000,00 TL, due date ../../2015, value 10,000.00 TL, maturity ../../ 2015, 3 original bonds with a value of 10.000,00 TL, all other kinds of legal evidence.
CONCLUSION AND CLAIM: For the reasons explained above, I respectfully submit and request by proxy that the debtor’s securities and real estate, as well as his rights and receivables from third parties, be placed under precautionary foreclosure in exchange for an appropriate guarantee.
