TO THE FAMILY COURT
APPLICANT/ OBJECTIVE:
ATTORNEY:
OPPONENT:
SUBJECT: … The Family Court’s … Different job consists of presenting our objection to the protection measure in accordance with the decision no.
OUR OBJECTIONS
1- I have been married to … for about … years, who claims to be the victim of violence, and we have common children at the ages of … and … from this marriage.
2- I state that the esteemed court’s decision to remove and protect me from the house, which was decided without hearing the common children, is against the procedure and the law, and I object to this decision. Namely;
3- The complainant party is completely unfair in the claims he has made to the court and does not reflect the truth and reality.
4- Contrary to what the other party claims, our client has never made any violence, threat, insult, humiliation or humiliating words or actions against his wife.
5- The complaining party makes unsubstantiated claims that are contrary to reality and truth. Due to this situation of the other party, which has been going on for two years, there is no peace in the family.
6- If the words of our common children are listened to, it will be revealed that this situation is as our client said.
7- My client, who recently bought a house with a loan from the bank, has yet to pay 1/4 of it and his monthly income is approximately … TL. Likewise, he has to pay a monthly loan of … TL. Due to the family protection decision of the esteemed court, I have rented a new house and I am renting … TL per month to him, so I cannot maintain my own life and the life of my family.
8-As a result, due to the reasons we have explained above, since the statements of the complainant do not reflect the truth and I am a victim due to the protective measures and the decision of the court to remove me from the house, and because of this decision, I have to object to the court’s decision and demand the removal of the protection order. . APPEAL ATTORNEY