
Petition For Denial Of Paternity
FAMILY COURT
PLAINTIFF: … (claiming not to be the father)
TURKISH ID NUMBER :
ATTORNEYS :
ADDRESS :
DEFENDANT : … (birth mother)
… (child) guardian
ADDRESS :
SUBJECT : Denial of parentage.
EVIDENCE : 1. Population records, 2. Birth certificates 3. Witnesses, 4. Doctor’s report, 5. Forensic medical examination and all other types of legal evidence.
LEGAL GROUNDS: TMY 285 and related legislation
EXPLANATIONS:
Our client, the plaintiff, married the defendant B… on …… date.
However, in the ……… month of the parties’ marriage, the defendant B… gave birth to the defendant C…. There was no relationship between the defendant B… and our client prior to the marriage.
The child was born on …… Therefore, it is impossible for our client to be the father of the defendant’s child. For this reason, it has become necessary to file this lawsuit.
For this reason, it is necessary to determine that our client is not the father of the defendant’s child.
CONCLUSION AND REQUEST: For the reasons explained above, since it is understood that the father of the minor defendant C… is not our client, we respectfully and earnestly request that the court decide to REJECT the defendant C…’s parentage in accordance with Article 286 of the Turkish Civil Code.
Plaintiff…
Representative Attorney