SAMPLE PETITION-
….. INSURANCE JOINT STOCK COMPANY
REQUESTING :A….. B….. (T.C.:…………….)
address
attorney :
address
MURIS :E…. B…. (T.C.:…………….)
PLATE NO:06 …
ACCIDENT
THE ISSUER IS INSURED:C….. E….. (T.C.:……………)
POLICY NO :…………….
PLATE NO:06 …
SUBJECT OF CLAIM: 06 … license plate vehicle belonging to Murise and insured by your company C….. E….. your car, license plate 06, belongs to the ../../…. It consists of our claims for material and moral compensation for the damage suffered by the client, who is the heir of E… B… due to the fact that E… B… lost his life as a result of a traffic accident in which he was involved in his history.
descriptions
Muris E….. B….., 06… Plate No…. October 1) The vehicle (a photocopy of the license is presented in the October annex to the petition)../../…. As you are heading towards Ostim from the direction of Batıkent in the history of your company’s insured property C….. E….plate No. 06 …, which belongs to ‘… Modelling …. Brand tool, ……………………. He was involved in a traffic accident at a roundabout.
C….. E….‘s conduct in the vehicle, the location of the accident in violation of the rules and the speed limit of the vehicle speed by multiplying stand in the conduct of the client, the client have caused it to crash into the vehicle in front, and thus, an accident occurred. E….. B….. he was trapped inside the vehicle; he was removed from the vehicle by paramedics who arrived at the scene and transported to the hospital by ambulance. Despite all the interventions carried out in the hospital, E… B… could not be saved.
As a result of the incident, a Traffic Accident Detection Report (October-2) was kept with the police teams who arrived at the scene. According to the defect report (tramer) issued in accordance with this minutes, your company is insured C….. E….the vehicle with the number plate 06 … belonging to the is the one with complete and primary defects. Murisin has no defects in this accident.
October 3), as can be understood from the inheritance decree (October 3) that we have submitted in the annex to the petition, the client who makes the request is the sole heir of the muris. October 4 October The client had to cover the hospital and burial costs of the murisin who died in this way (the identity information of the muris is presented in the annex to the petition) from his own pocket. Invoices and documents related to these expenses are presented in October annex to this petition. (October-5)
However, the client was not working and the client’s father, Muris E… B…, was providing for his livelihood. Along with Murisin’s death, the client was deprived of the financial support provided by Murisin. In addition to the sadness and loss he experienced with the death of his father, he also fell into financial difficulties in this way.
October 6 October The policy of the vehicle that caused the accident in which the client lost his father and caused him to suffer material damage (policy information is presented in the appendix) has been made by your company. 3. The insurer, in accordance with the General Conditions of Compulsory Liability Insurance, the insured.he is jointly and severally liable for material and physical damages caused to persons, provided that they remain within the limits of the guarantee. Client, bereft of the support of Muris, Muris hospital treatment expenses, burial expenses, and depreciation including vehicle damage material damage insurance for each pen directly because it creates such damages must be compensated by the corporation. 1429 of the same law (TCC) again. According to its article, the Insurer is liable for compensation for damages caused by the negligence of the insured, the insured, the beneficiary and the persons to whom they are legally responsible for their actions, if there is no contract to the contrary.
That are described for all these reasons, and without prejudice to our right to demand a trial for the accident; the accident as a result of your client bereft of support, and value with the damage to the vehicle Muris hospital treatment expenses and burial expenses, and financial compensation because of the loss of my client experienced sadness and elimination of the accident due to the negative factors reducing the amount of the compensation will be calculated and paid by us in the name of spiritual demand. We inform you that the IBAN number specified below must be paid immediately from the date of notification of the application to you, otherwise we will go down the path of litigation.
LEGAL REASONS: KTK, HMK, Law on Advocacy No. 6047 and other relevant legislation
EVIDENCE : A photocopy of the vehicle’s license, …/…/Dated 2021 ….. Accident Sequence Numbered Traffic Accident Detection Minutes, Probate statement, Murise’s identity information, Bills and documents related to hospital and burial expenses, Policy information of the insured vehicle of your company and other all delail
CONCLUSION AND CLAIM: For all the reasons explained above; provided that our rights to claim and claim for excess are reserved;
Occurring as a result of an accident, your client bereft of support, and value with the damage to the vehicle Muris hospital treatment expenses and burial expenses, and financial compensation because of the loss of my client experienced sadness and elimination of the accident due to the negative factors reducing the amount of compensation will be calculated in the name of the spiritual and the client it belongs to ….. Bank TR .. …. …. …. …. …. .. we request that the client’s grievance be resolved by sending it to the numbered IBAN account by proxy. 30.11.2021
THE REQUESTING DEPUTY
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