TO COURT OF THE…
prosecutor:
attorney:
DEFENDANT:
SUBJECT: It consists of our claim for compensation in relation to the protection of the name.
INSTRUCTIONS
1- My client is a dignified and calm person who is very well known and loved around him. He is a tradesman. He’s someone who doesn’t care much about his environment and doesn’t hurt anyone.
2- The neighbor, who is annoyed that our client is so indifferent, gave his dog his name to attract his attention and upset his nerves, and this name is also written on his collar.
3- The defendant, who constantly calls his dog by my client’s name while walking his dog in the neighborhood and does this especially during crowded hours and among other neighbors, almost decries that he is doing this on purpose and intends to humiliate my client.
4- My client is deeply humiliated, uneasy and hurt by the situation.
5- For these reasons, we sincerely ask and demand that the defendant’s behavior against my client, which hurts my client, be stopped, and that the defendant be sentenced to pay TL compensation with legal interest that will be processed from the date of the lawsuit for this honor-damaging behavior that the defendant has committed against my client.
LEGAL REASONS: Civil Code, Code of Obligations and related legislation
EVIDENCE: Witnesses, Population record and all kinds of evidence
PROMPT RESULT: the reasons we described above for the actual final provision that hurt my client, the defendant in this case my client degrading treatment process due to legal interest from the date of … TL non-pecuniary damages provision and to pay for litigation costs and attorneys ‘ fees), we will decided to the opposite side of yukletilm regards to supply and demand. ../../…
DEPUTY PLAINTIFF