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Statement of claim for divorce

Statement of claim for divorce

Attention! The Law and Law Law Company draws your attention to the fact that this document is basic and does not always meet the requirements of a specific situation. Our lawyers are ready to assist you in drafting any legal document that suits your situation.  For more information, please contact a Lawyer/Lawyer by phone; +7 (708) 971-78-58; +7 (727) 971-78-58.

Bostandyk District Court of Almaty

The plaintiff: _____________, __.01.19__ year of birth IIN .................... city of Almaty,

Bostandyk district, md. Miras, 132 contact phone number: 8 _____________

Respondent: LLP _____________ BIN _____________ Almaty, md. Orbit-1,

Mira Shopping Center Bank account: KZ_____________

Forte Bank contact phone number: 8 _____________

Statement of claim for divorce

(period from __.04.20__ to __.09.20__ of the year) (in accordance with Articles 148, 149 of the CPC RK) In accordance with paragraph 1 of Article 19 of the Code of the Republic of Kazakhstan "On Marriage (Matrimony) and Family" No. 518-IV dated December 26, 2011 (hereinafter referred to as SAM "On marriage and family") the dissolution of a marriage (matrimony) in court is carried out if the court finds that further joint life of the spouses and the preservation of the family is impossible.

Subitems 1, 2, paragraph 2 of Article 19 of the Air Defense Code "On Marriage and Family" provide that the dissolution of marriage (matrimony) is carried out in court in cases where the spouses have common minor children and one of the spouses does not consent to the dissolution of marriage (matrimony). Brief background of the relationship: __ January 20__ between me, _____________ and _____________ ( hereinafter referred to as the defendant), the marriage was registered at the registry office of the Bostandyk district (registration number_____________ dated __.01.20__ of the year). Our marriage didn't last long. We started living separately on __.02.20__ year. During the period of living together, we had 2 (two) sons. The eldest is 8 years old, the youngest is 4 years old: FULL NAME_____________, __.02.20__ year of birth FULL name_____________, __.09.20__ our separate year of birth The accommodation was served by the fact that starting from December 20__, the defendant began to drink alcoholic beverages in large quantities. After each meeting, which took place almost every day, he began to engage in physical abuse, i.e. he began to beat me. During the same period, he was fired from his job for absenteeism.

Since I have a well-paying job, I don't want to tolerate my husband's antics, so I decided to end this suffering and get a divorce. No matter how I begged him to stop drinking, my husband doesn't want to talk about anything and doesn't want to go to work. Considering that I provide for the family myself, namely, I pay for kindergarten for my youngest son myself, utilities, I consider further accommodation with the defendant not advisable, reconciliation between me and the defendant is impossible. I have no property claims against the defendant.; the issue of the division of property between us was resolved long ago by mutual agreement, there is no dispute about the division of property, which is our joint property.

After the dissolution of the marriage, I ask you to keep your maiden name - Karasaeva. The children stay with me after the dissolution of the marriage. This issue has been agreed with the respondent, there are no complaints. The apartment we live in belongs to me personally, as it was donated by my parents before the marriage. The application in form and content corresponds to Articles 148-149 of the CPC RK. Based on the above and guided by Articles 19, 20 of the Law of the Republic of Kazakhstan "On Marriage (Matrimony) and family"; Articles 8, 27; 148-150; CPC RK, ,

I ask the court:

Annul the marriage between me, _____________ and _____________, registered in the registry office of the Bostandyk district (registration record №_____________ from __.01.20__ of the year);

2. After the dissolution of the marriage, change the plaintiff's surname from "_____________" on "_____________";

Application: 1. Receipt of payment of the state fee; 2. A copy of the statement of claim and a notice of sending the application to the defendant; 3.Marriage certificate; 4.Copies of the birth certificate of the children; 5. A copy of the plaintiff's identity card; 6.Address certificate;

______________________________ __.10.20__

Attention!   

       Law and Law Law Law draws your attention to the fact that this document is basic and does not always meet the requirements of a particular situation. Our lawyers are ready to assist you in legal advice, drawing up any legal document suitable for your situation.  

 For more information,  please contact a Lawyer / Attorney by phone: +7 (708) 971-78-58; +7 (700) 978 5755, +7 (700) 978 5085. 

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