BEGINS ACTION FOR REPEAT OF PAYMENT . -
SR. JUDGE: DNI ...........,
............., with real street address .............. ........... No. ..........., City with legal representation Dr .......................... ., constituting ............................, Street headquarters on VS and I stand respectfully say:
I. - PURPOSE:
I come to start REPEAT OF PAYMENT lawsuit against Mr. .............. with actual street address ...... .........., ....... for the purpose of obtaining payment of the sum of $ ................... (weights are .............) with more interest until cash payment, costs and expenses incurred by the handling of this, based on the findings of fact and law as set out below :
II .- FACTS:
Day ........................... mr ................................................
..........................................- III. REPETITION OF PAYMENT:
From the foregoing it appears that I have had to pay a debt that had forced me ANOTHER .- was the defendant who now ............... ............................. actors, but to their reluctance to pay the agreed price personally had to confront such an obligation, under my guarantor assumed in SECTION contract .................. Thus signed .- I legally subrogated to the rights of creditors under the provisions of ss. 767, 768 and ccdts Civil Code and is from the refund of payments made, plus interests, costs and expenses .-
TREATY:
In order to reinstate the defendant the amount paid by the undersigned and to prevent the initiation of this action was sent to date ............. ........ letter ยบ................. Document No as follows: "............................................ .................................................. .................................................. ............." Given the rejection of the defendant dated ............................. I sent the CD No. ........ as follows: "................................
.........................................."- V. - TEST:
offer the following: 1 .-
DOCUMENTARY:
to )........................... ...........-
b )................................ .........-
c )................................. ......-
2.-INSTRUMENTAL INFORMATION:
3 .- INFORMATION: If you ignored the text, sending or receiving letters documents identified in Exhibit points f) and g) will apply free trade to CORREO ARGENTINO to the effect that transmit a certified copy of it and inform the sender, who receives and on what date .-
VI .- ARREST.
immunity from CONTRACAUTELA. In order to ensure the collection of credit to be claimed in this application, I call it free trade to the registration of real property so that it locks embargo ............... ............. In this regard it should be noted that budgets are meeting our legal admissibility procedure provides for the admissibility of the action requested .- Through the documentation provided reliably credited to the credibility of law relied .- I note that attached the main actions of records processed and before the Court .............. which are duly certified by its Secretary .- The copy of the contract ..................... basis of the action brought, is credited the character of the undersigned guarantor for the obligations assumed by the defendant in the same .- With the certified copy of the trance and top sentence handed down to both sides of this trial, which is credited has condemned the trial parts of it to pay the amount claimed by the plaintiff, plus interest, and penalties provided for .- The process follows the original letter in which settlement is practiced, amount of deposit is also a copy JUDICIAL is certified by the Clerk of Court . Is also accompanied by original receipt and stamped deposit slip stamped original court payment which is credited to the payment made by the undersigned for fees and contributions .- I acknowledge that failure to attach all of the folio as the master file is almost .......... fs. and obtaining copies of the same cause excessive and unnecessary spending .- However, he considers this part of the accompanying documentation sufficient to demonstrate the plausibility of the right, leading then to the work of the injunction requested .- Also taking into account pursued the repetition of a payment I WAS BOUND BY OTHERS, I ask DISCLAIMS TO COMPLY WITH THE OBLIGATION TO PAY CONTRACAUTELA .- In the same documentation provided emerges clearly that I had to pay off the debt now held the defendant for having CREATED AS SURETY IN THE LEASE THAT IS ATTACHED CERTIFIED COPY .- In view of this would be an excess stringency that VS order contracautela the establishment of a precautionary measure to realize the aim pursued by the reinstatement by repeating an amount to cancel an obligation of the defendant's car .- I request that the injunction is finally locked up to the amount claimed in the budget demand for VS to meet interest costs and costs of the action brought .-
VII .-
RESERVE ACTIONS:
In response to the standards of the art. 198 seconds CPCC paragraph VS order request to the reservation of these actions is effected until requested interim mediated .-
VIII .- RIGHT:
right Fundo assisting me in what has been ruled by the arts. 768, 771, 2029 and Civil Code cc .- I
IX .- REQUEST:
For these reasons apply:
1 .- I have for the present, part, denounced the home constituted real legal domicile .- 2 .-
order aggregation accompanied by documentary evidence
.- 3 .- lock attachment order to apply, so you must get rid of the office .-
style 4 .- exempts signed with the obligation to provide
contracautela .- 5 .- The order reserve of these proceedings .- 6.-
Following completion of the work of the requested injunction is run to the defendant of the application filed by the term and under penalty of law -
7 .- Fittingly it makes room for the application filed, order the defendant to pay the capital costs claimed plus interest and costs of action that promotes .-
Provide VS. under;
JUSTICE FOR BEING .-
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