QUESTIONS FOR PLAINTIFF (@Fletchingrs )
Please state your name for the record and your involvement with Plot S079.
On February 26th, what specific in-game commands did you execute to attempt to grant building permissions to the Defendant?
When did you first become aware that the permissions...
PLAINTIFF’S OPENING STATEMENT
Your Honor,
This is a case of professional abandonment. On February 26, 2026, the Plaintiff and Defendant entered a binding contract for the renovation of Plot S079. My client fulfilled every obligation: he signed the agreement, he paid the $9,000 deposit, and he...
Your Honur,
I have open a staff ticket for the rent logs and here is the full conversation with staff. But as shown here there is no rent logs between these dates.
Your Honor @Franciscus,
The Defendant’s attempt to hold Counsel in contempt is a meritless distraction designed to avoid the reality of Exhibit Staff-001.
I. DILIGENCE OF COUNSEL Counsel for the Plaintiff has acted with the utmost professional diligence. Multiple attempts have been made to...
Your Honor @Franciscus,
The Plaintiff categorically denies the allegation of perjury. The Defendant ( @Kiwi_Boi_Gamer )is attempting to weaponize a minor chronological discrepancy to distract from their own material breach of contract.
I. LACK OF INTENT Perjury requires a "knowing and willful"...
Your Honor @Franciscus,
Counsel for the Plaintiff wishes to clarify and formalize my previous statement regarding client communication.
I. DILIGENT EFFORT TO COMMUNICATE I have sent multiple formal requests to the Plaintiff via [Discord] regarding the Court-ordered rent logs. While the...
Sorry got it to fix my grammar and some my wording because I didn't like it. I think it saw sine imperfections on what I wrote though. I said to it that I wanted it to double check it and fix and grammar and wording.
Username: Brzzzes
I am representing myself
What Case are you Appealing?: [2026] DCR 27
Link to the Original Case: Lawsuit: Pending - Fletchingrs v. UrbanDesign [2026] DCR 27
Basis for Appeal: 1. Reversible Error: Failure to Prove "Specific Intent" (Mens Rea)
Under the Criminal Code Act...
RESPONSE TO ORDER TO SHOW CAUSE
TO THE HONORABLE JUDGE MULTIMAN155:
Utterly Amazing Group LLC, appearing as Counsel for the Plaintiff, formally submits this response to the Order to Show Cause. Counsel treats these allegations with the utmost gravity and wishes to clarify the record to...
RESPONSE TO ORDER TO SHOW CAUSE
TO THE HONORABLE JUDGE MULTIMAN155:
Utterly Amazing Group LLC, appearing as Counsel for the Plaintiff, formally submits this response to the Order to Show Cause. Counsel treats these allegations with the utmost gravity and wishes to clarify the record to...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
FLETCHINGRS Plaintiff
v.
URBANDESIGN Defendant
MOTION FOR DISCOVERY ORDER: PRODUCTION OF SERVER PERMISSION LOGS
TO THE JUDGE OF THE DISTRICT COURT:
The Plaintiff, represented by Utterly Amazing Group LLC, respectfully moves this Court to...
NOTICE OF APPEARANCE & RESPONSE TO DEFENDANT'S ADMISSIONS
NOTICE OF APPEARANCE Please be advised that Utterly Amazing Group LLC has been retained as legal counsel for the Plaintiff, Fletchingrs. All future motions, rulings, and correspondence should be directed to the undersigned firm...
Your Honor,
Yes, of course and thank you for the opportunity to clarify. While the types of records I am looking for haven't changed, the legal necessity for this specific Motion has.
The Difference between Post No. 12 and this Motion:
Post No. 12 was a Request: In my initial filing, I...
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