Aşağıda bir kısmını gördüğünüz bu dokümana sadece Profesyonel +
pakete abone olan üyelerimiz erişebilir.
A. PREAMBLE
1. I am Prof. Dr. İlhan Helvacı, of Nispetiye Caddesi, Seramik Sokak, No 3/2, Bebek…
2. I am an academician who has been researching and working in the fields of Fundamental…
3. At the same time, I have been an attorney at law registered with the Istanbul…
4. In addition, for nearly 25 years I have been appointed by the courts as an expert…
5. In short I can state that I have the knowledge, professional experience and objectivity…
6. By letter from … dated 26 August 2013, I was requested to provide a written legal…
7. I have been provided with the following documents:…
a. The SYE Sub-Contract;…
b. SYE’s Statement of Claim dated January 2013;…
c. M’s Defence Memorial dated 2 April 2013;…
d. SYE’s Respond to the Response and Response to the Counterclaim dated 14 June…
e. Invoice Number 1 issued by SYE and dated 30 November 2007;…
f. Related correspondence – M’s letter to SYE dated 13 June 2007; Minutes of Joint…
8. I examined the documents contained in the file submitted to me with an impartial…
9. I have no relationship with the parties to this arbitration, other than my role…
35. TERMINATION OF WORK CONTRACT BY EMPLOYER
B. BRIEF FACTUAL BACKGROUND