Recent content by J_The_Fae

  1. J_The_Fae

    Lawsuit: In Session Noadenmark v. Zombie_Bro_ [2026] DCR 37

    Notice to the Court Your Honour, On behalf of the Plaintiff, Noadenmark, Talion & Partners INC. respectfully welcomes Your Honour to this matter following the voluntary recusal of the prior judicial officer. For the Court's convenience, the following items are presently open: 1. Motion for...
  2. J_The_Fae

    Lawsuit: In Session Noadenmark v. Zombie_Bro_ [2026] DCR 37

    Yes, the Plaintiff observed the Defendant’s statement.
  3. J_The_Fae

    Lawsuit: In Session Noadenmark v. Zombie_Bro_ [2026] DCR 37

    In order to have submitted the evidence, the CDefendant had to have observed the CPlaintiff's statement. My answer to the interrogatory was explaining why the CDefendant filed this suit despite the CPLaintiff's statement; said statement cannot dispute the CDefendant's claim to repayment because...
  4. J_The_Fae

    Lawsuit: In Session Noadenmark v. Zombie_Bro_ [2026] DCR 37

    The CDefendant submits these answers to the CPlaintiff's interrogatories: 1. What specific communication from the CPlaintiff established an agreed repayment of $2,100 rather than $1,050? When the CPlaintiff requested the second loan of $1,000, he followed this request with the statement “so...
  5. J_The_Fae

    Lawsuit: In Session Noadenmark v. Zombie_Bro_ [2026] DCR 37

    I'd also like to ask for an extension of 24 hours to answer the interrogatories separately.
  6. J_The_Fae

    Lawsuit: In Session Noadenmark v. Zombie_Bro_ [2026] DCR 37

    I request leave to file the answer to counterclaim now.
  7. J_The_Fae

    Lawsuit: In Session Noadenmark v. Zombie_Bro_ [2026] DCR 37

    Your Honor, as I have previously stated, my answer to the counterclaim will easily provide answers to the interrogatory. I did not file said answer because I was awaiting the court's permission to do so during discovery. I was not given leave to file it, and therefore I did not. Respectfully...
  8. J_The_Fae

    Lawsuit: In Session Noadenmark v. Zombie_Bro_ [2026] DCR 37

    In accordance with Rule 4.8, the Plaintiff adds the following people as witnesses: 1. julimonki
  9. J_The_Fae

    Lawsuit: In Session Noadenmark v. Zombie_Bro_ [2026] DCR 37

    Apologies, I misread and assumed discovery would start on the 23rd. May I request leave to file a response despite discovery having already begun?
  10. J_The_Fae

    Lawsuit: In Session Noadenmark v. Zombie_Bro_ [2026] DCR 37

    Additionally, I believe the response that has been prepared will adequately address the Defendant’s interrogatories as well as the counterclaim.
  11. J_The_Fae

    Lawsuit: In Session Noadenmark v. Zombie_Bro_ [2026] DCR 37

    Your Honor, I will be representing the Plaintiff on behalf of Talion & Partners INC. I'd like to ask leave of the court to file a response to the Defendant's counterclaim before discovery begins.
  12. J_The_Fae

    Count to 1,000,000

    1189
  13. J_The_Fae

    Make the sentence above fancier

    I possess awareness of the aforementioned fact; this statement is of such a disposition as to cause amusement. William Shakespeare was the writer of most proper formality, compared to his fellows.
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