Petition for Theft Crime Defense

CRIMINAL COURT

 

FILE NUMBER :

DEFENDANT:

DEFENSE:

CLIENT:

ATTORNEY:

SUBJECT: Our Petition Contains Our Additional Defenses Regarding the Substantive.

 

DESCRIPTIONS :

 

1-) Our client was charged with theft …. Attorney General’s Office…. A lawsuit was filed with the indictment no.

 

2-) As a result of the trial held in his absence, an arrest warrant was issued for him, and he was caught and sent to prison when he entered Turkey.

 

4-) However, he was living abroad on the date of the alleged crime …/…/… and it does not seem possible for him to commit the crime in question.

 

CONCLUSION AND CLAIM: For the reasons we have tried to explain above, if the accused client is acquitted of the theft charge against him, if the opposite conclusion is reached as a result of the evaluation to be made by your court, we request, by proxy, that the legal articles in favor of the accused client and the reasons for legal reduction be applied.

 

 

Defendant Advocate

Lawyer

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