… TO THE COURT
Plaintiff:
ATTORNEY:
ADDRESS :
DEFENDANT:
ADDRESS :
SUBJECT: Our Statements About the Case.
DESCRIPTIONS
1-) We filed a lawsuit against the defendant, our client… due to the fact that the enforcement proceedings started with a mortgage document of … TRY despite the payment of … TRY.
2-) However, the defendant stated that this debt was not paid at the hearing dated …/…/… although he accepted the payment of …TL.
3-) It is an indisputable provision that the extension or modification of the defense is subject to the consent of the other party after the substance of the case has been taken. We say to the other party, “… TL. We do not consent to the expansion of his defense of ‘not paid’. As a matter of fact, with this petition, we present the payment receipts for the TL.
LEGAL REASONS: 1086 S. K. m. 202, 33 and related legislation.
LEGAL EVIDENCE: Payment receipts, witness statements and other evidence.
RESULT AND REQUEST
For the reasons we explained above, considering that we did not consent to the defendant’s expansion of his defense regarding the non-payment of the debt at the hearing dated …/…/…, due to the payment of …TL. m. In accordance with the provisions of 33, we request and submit by proxy that the execution be postponed until the end of the case, that the costs of the trial be charged to the defendant, and that a decision be made.
Plaintiff’s Attorney
Hunting.
