Post by account_disabled on Mar 6, 2024 5:26:25 GMT
The same provision applies to alimony claims between divorced spouses. In this context, the temporary alimony to be paid while the case is ongoing is subject to the common national law of the spouses. If the parties have different citizenships, common habitual residence law applies, and in cases where this does not exist, Turkish law applies. However, the provisions of international agreements to which Turkey is a party are primarily applied. In other words, according to the 8th provision of the Hague Convention on the Law Applicable to Alimony Obligation dated 1973, the law applicable to divorce will also be valid for alimony. On the other hand, MÖHUK m. In accordance with Article 19, it is stated that alimony requests are handled according to the habitual residence law of the alimony creditor.
Since, according to the provision of Article 8 of the Hague France Telegram Number Data Convention dated 1973, the law governing divorce can only govern poverty alimony, the child support envisaged for the children will be determined according to the habitual residence of the spouse receiving custody. In this regard, if the spouse receiving custody lives in England, alimony will be determined for the child according to British rules. The same provision applies to alimony claims between divorced spouses. In this context, the temporary alimony to be paid while the case is ongoing is subject to the common national law of the spouses. If the parties have different citizenships, common habitual residence law applies, and in cases where this does not exist, Turkish law applies. However, the provisions of international agreements to which Turkey is a party are primarily applied.
In other words, according to the 8th provision of the Hague Convention on the Law Applicable to Alimony Obligation dated 1973, the law applicable to divorce will also be valid for alimony. On the other hand, MÖHUK m. In accordance with Article 19, it is stated that alimony requests are handled according to the habitual residence law of the alimony creditor. Since, according to the provision of Article 8 of the Hague Convention dated 1973, the law governing divorce can only govern poverty alimony, the child support envisaged for the children will be determined according to the habitual residence of the spouse receiving custody. In this regard, if the spouse receiving custody lives in England, alimony will be determined for the child according to British rules.
Since, according to the provision of Article 8 of the Hague France Telegram Number Data Convention dated 1973, the law governing divorce can only govern poverty alimony, the child support envisaged for the children will be determined according to the habitual residence of the spouse receiving custody. In this regard, if the spouse receiving custody lives in England, alimony will be determined for the child according to British rules. The same provision applies to alimony claims between divorced spouses. In this context, the temporary alimony to be paid while the case is ongoing is subject to the common national law of the spouses. If the parties have different citizenships, common habitual residence law applies, and in cases where this does not exist, Turkish law applies. However, the provisions of international agreements to which Turkey is a party are primarily applied.
In other words, according to the 8th provision of the Hague Convention on the Law Applicable to Alimony Obligation dated 1973, the law applicable to divorce will also be valid for alimony. On the other hand, MÖHUK m. In accordance with Article 19, it is stated that alimony requests are handled according to the habitual residence law of the alimony creditor. Since, according to the provision of Article 8 of the Hague Convention dated 1973, the law governing divorce can only govern poverty alimony, the child support envisaged for the children will be determined according to the habitual residence of the spouse receiving custody. In this regard, if the spouse receiving custody lives in England, alimony will be determined for the child according to British rules.