Post by account_disabled on Mar 6, 2024 5:16:44 GMT
Law Applicable in Divorce Case with Foreign Element Competent Law in Divorce with Foreign Element MÖHUK m. 4 regulates that in cases where the competent law will be determined on the basis of citizenship, if those who have more than one citizenship are also Turkish citizens, the applicable law will be Turkish law, and for those who have more than one citizenship but are not Turkish citizenship, the law of the state with which they are more closely related will be applied. MÖHUK m. and provisions of divorce are subject to the common national law of the spouses. If the spouses have different citizenships, the law of joint habitual residence applies. Accordingly, the law of the country where the spouses reside together applies.
If the spouses do not live together France Telegram Number Data in one country, that is, they do not have a common habitual residence, Turkish law applies. This practice is the same for alimony and custody requests. Law Applicable in Divorce Case with Foreign Element Competent Law in Divorce with Foreign Element MÖHUK m. 4 regulates that in cases where the competent law will be determined on the basis of citizenship, if those who have more than one citizenship are also Turkish citizens, the applicable law will be Turkish law, and for those who have more than one citizenship but are not Turkish citizenship, the law of the state with which they are more closely related will be applied. MÖHUK m.
According to Article 14, the grounds and provisions of divorce are subject to the common national law of the spouses. If the spouses have different citizenships, the law of joint habitual residence applies. Accordingly, the law of the country where the spouses reside together applies. If the spouses do not live together in one country, that is, they do not have a common habitual residence, Turkish law applies. This practice is the same for alimony and custody requests.
If the spouses do not live together France Telegram Number Data in one country, that is, they do not have a common habitual residence, Turkish law applies. This practice is the same for alimony and custody requests. Law Applicable in Divorce Case with Foreign Element Competent Law in Divorce with Foreign Element MÖHUK m. 4 regulates that in cases where the competent law will be determined on the basis of citizenship, if those who have more than one citizenship are also Turkish citizens, the applicable law will be Turkish law, and for those who have more than one citizenship but are not Turkish citizenship, the law of the state with which they are more closely related will be applied. MÖHUK m.
According to Article 14, the grounds and provisions of divorce are subject to the common national law of the spouses. If the spouses have different citizenships, the law of joint habitual residence applies. Accordingly, the law of the country where the spouses reside together applies. If the spouses do not live together in one country, that is, they do not have a common habitual residence, Turkish law applies. This practice is the same for alimony and custody requests.