
…….TO THE HONORABLE COURT
…….
PLAINTIFF :…….
ATTORNEY :…….
DEFENDANT :…….
SUBJECT: Eviction due to two justified warnings
VALUE OF THE CLAIM: ……. Annual rent.
EXPLANATIONS: 1-The defendant has been a tenant in our client’s apartment located at ……. address for 3 years under a lease agreement dated ……. The rent is …….
2-The Defendant failed to pay the rent for the months of ……. within the specified period. Our client sent the Defendant two valid notices: one dated ……. and numbered ……. from the ……. Notary Public, and another dated …/…/… and numbered …….. from the ………. Notary Public.
3-Despite this, the Defendant has not made any payment. We request the eviction of the Defendant from the leased property.
LEGAL GROUNDS: Article 7/e of Law No. 6570 and other relevant legislation.
EVIDENCE: Lease Agreement, notices, and all types of evidence.
RESPONSE PERIOD: 10 days
REQUESTED OUTCOME: For the reasons stated, the defendant’s eviction from the leased property due to receiving two valid notices, the imposition of court costs on the defendant, and that the opposing party’s attorney’s fees be awarded to us as attorneys, in accordance with the last paragraph of Article 164 of the Attorney Law No. 1136, as amended by Law No. 4667.
PLAINTIFF’S ATTORNEY