Voluntary Petition for Injunction Due to Domestic Violence

… TO THE FAMILY COURT JUDGE

CLAIM OWNER: (Tc No)

address :

attorney :

address :

DEFENDANT :

ADDRESS :

SUBJECT : It Consists Of Our Petition, Which Includes Our Request to Take Measures in Accordance with the Law on the Protection of the Family And the Prevention of Violence Against Women.

OUR EXPLANATIONS
1-) My client …… resides at the address …… which is the family residence …… with the …… whom he married on the …/…/… date. The client’s wife is a technician and works in the radiology department of the hospital.

2-) The client’s wife is trying to prevent my client from meeting with his brother because of the enmity he has with the client’s brother, and if he cannot prevent it, he resorts to using violence against the client. The client, who stayed at his mother’s house for a while after the violent events that occurred, is also disturbed here by his wife and endangers the client’s life and makes it unlivable.

3-) 4 Of the Law No. 6284 on the Protection of the Family for the reasons explained. it has become necessary to apply to your court in order to ensure that the measures written in the article are taken.

LEGAL REASONS : 6284 p. K. m. 4, 5.

LEGAL EVIDENCE :

1-Population registration,

2-SGK casting record of our client’s wife

3-The witness list shows the names and addresses of the witnesses and the topics they will testify about

CONCLUSION AND CLAIM : For the reasons we have explained above, we respectfully request on behalf of our client that a decision be made to take appropriate measures, warning that the client’s wife will be punished if she violates the measures. …/ …/ …

The Deputy Who Made The Request

Lawyer.

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