Your honor, I will be willing to make a motion to amend in order to place the correct numbers in my answer/counter-complaint. However, to state this is perjury is absurd. I wrote the wrong numbers down is all.
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO AMEND COMPLAINT...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
ANSWER TO COMPLAINT (ON BEHALF OF Sergeant__Balls and Loose_Leaf_)
Ko531,
Plaintiff
v.
Incarnation__,Jakkuwu, Sergeant__Balls and Loose_Leaf_,
Defendants
I. ANSWER TO COMPLAINT
1. DENIES that Loose_Leaf_ ("LL") and Sergeant__Balls...
I also do not oppose. If the party was not Jakkuwu personally, but instead his company, I could see an arguement being made to advance the interests of this party. That not being the case, I don't see a point in continuing with Jakkuwu as party so long as he remains deported.
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO STRIKE (ON BEHALF OF MJL_)
The co-defence moves that part of the opening statement made by defense be stricken from the record. Specifically the following statement should be stricken from the record: "The court should uphold the...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
OPENING STATEMENT
Hello! If it may please the court, I present my humble opening statement.
I. INTRODUCTION
My name is MJL, and I am the lawful owner of plot c006. Unlike the other parties in this case, I am not contesting ownership of more...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
RESPONSE TO MOTION FOR EMERGENCY INJUNCTION
To quote Justice Matthew100x,
Now, I ask this court what harm would be prevented by granting this emergency injunction? Neither of my clients have assets even close to the requested amount. If the...
No, sorry. The last bit got cut off there.
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO DISMISS
The co-defense moves for a partial dismissal under Rule 5.7 (Failure to Include Party). Specifically, we request that Loose_Leaf_ and Sergeant__Balls be dismissed from this...
Again, here on behalf of my two clients.
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO DISMISS
The co-defense moves for a partial dismissal under Rule 5.7 (Failure to Include Party).
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO RECONSIDER
Your honor, my clients only just received notice of this case moments ago. To grant a modification of the emergency injunction without giving them a chance to respond is clearly not in line with precedent set in Appeal...
Your honor, I have to come to a settlement with the lead plaintiff, ZxRiptide, regarding plot c006.
IN THE FEDERAL OF THE COMMONWEALTH OF REDMONT
MOTION TO DISMISS WITH PREJUDICE
The co-defence moves that the complaint in this case be dismissed in part and respectfully puts forward:
1. No...
Your honor, speaking for myself, I am personally willing to stay proceedings until such time all parties are able to make effective representation. I am in no rush as co-defendant to adjuticate my claims as I still retain control of plot c006 at this time.
I have no objection to any request by...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
ANSWER TO COMPLAINT BY ZxRiptide (ON BEHALF OF MJL_)
ZxRiptide, et al.
Plaintiff
v.
MasterCaelen, et al.
Defendant
ANSWER TO COMPLAINT
1. NEITHER AFFIRMS NOR DENIES facts 1-6; NOTING that the contract present in P-Z001 (which should be...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO RECONSIDER
Your honor, Plaintiff and Counter-Defendant is now selling off all his real estate assets at below market value. A freeze on his assets is badly required here. Not all of the properties have not been transferred, so it...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO COMPEL
The Defense and Counter Plaintiff hereby submits the following requests to the Plaintiff and Counter Defendant pursuant to the Court's Discovery Rule 4.8 (Interrogatories). All responses are required within 48 hours...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
ANSWER TO COMPLAINT BY Pepecuu (ON BEHALF OF MJL_)
ZxRiptide, et al.
Plaintiff
v.
MasterCaelen, et al.
Defendant
I. ANSWER TO COMPLAINT
1. NEITHER AFFIRMS NOR DENIES facts 1-12; NOTING that Plot C006 is not listed among the plots used as...
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