RESPONSE TO THE OBJECTION
Your Honor,
Plaintiff previously claimed that the GER not legally but beneficially owns properties, and that the ability to beneficially own properties was legally recognized due to precedent set in Discover Bank v. _Pugsy [2024] FCR 51. Plaintiff themselves specified...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - PERJURY
Your Honor,
The Plaintiff in this case is the Galactic Empire of Redmont, not its Grand Admiral or founder. This is knowledge that Plaintiff is surely aware of, as it is their own identity. Plaintiff in this objection...
The Defendant enters the following evidence, pursuant to Rule 4.6:
Pursuant to Rule 4.9 (Witness Protocol), the Defendant submits the following witness list:
1. Yeet_Boy
The Defendant enters the following evidence:
And in doing so has provided the material requested by Plaintiff's first request for discovery to which the Defendant did not oppose to the best of their ability.
The Defendant to the best of their ability has no documents to submit in...
RESPONSE TO THE MOTION
Your Honor,
The Defendant partly opposes the first discovery request. The Defendant agrees to submit any messages containing the words "yeet" "ger" "galactic empire" "galactic empire of redmont" "yeet plot" "yeet plots" "yeet's plot" "yeets plot" "c607" "c226" "c279"...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - PERJURY, PERJURY, PERJURY
Your Honor,
Plaintiff has committed three counts of Perjury.
Exhibit C, as provided by the Plaintiff in their Complaint, shows pricelessAgrari stating: "You have been charged with 1x Murder. You have the...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
ANSWER TO COMPLAINT
MysticPhunky
Plaintiff
v.
The Commonwealth of Redmont
Defendant
I. ANSWER TO COMPLAINT
1. The Defendant AFFIRMS that Plaintiff was arrested by DHS Officer pricelessAgrari for “1× murder” on July 12, 2025
2. The Defendant...
Defendant requests a response to the motion, Your Honor.
Furthermore, as there are only 6 hours of discovery remaining with pending discovery-related motions, objections and/or requests from both parties, Defendant respectfully requests the Discovery period be extended.
Pursuant to Rule 4.7, the Defendant requests the Plaintiff to produce the following materials relevant to the case:
All documents, contracts, or agreements resulting in the beneficial ownership of the following plots by the Galactic Empire of Redmont, as well as a list of dates since which the...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
ANSWER TO COMPLAINT
Lex Titanum (Formerly Titan Law)
Plaintiff
v.
The Commonwealth of Redmont
Defendant
I. ANSWER TO COMPLAINT
1. The Defendant AFFIRMS that Dodrio3 posted the forums post for [2024] DCR 43 - Appeal on November 22nd, 2024...
RESPONSE TO INTERROGATORIES
1. Was any action by the DCT against the Galactic Empire of Redmont politically motivated in any way?
No, all evictions filed are evidence-based. As you can see, the reporting was made in accordance with the Department's eviction policy. While this is inherently a...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
ANSWER TO COMPLAINT
AsexualDinosaur
Plaintiff
v.
Commonwealth of Redmont
Defendant
I. ANSWER TO COMPLAINT
1. The Defendant AFFIRMS facts 1 to 9 of Plaintiff's Complaint.
2. The Defendant lacks information or knowledge to form a belief...
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