DIRECT EXAMINATION OF WITNESS
.CaldironJa1, Co Proprietor, FAS
Foundation & Role
1. Please state your in-game name and identify your role at the FAS plot.
2. How long have you served in that role?
3. In that role, what are your responsibilities concerning the FAS plot and the writers who...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
emmythegremlin v. roy405 [2026] DCR 24
NOTICE OF APPEARANCE OF CO-COUNSEL
The Plaintiff respectfully notifies the Court that @TheSnowGuardian , of Talion & Partners INC., hereby enters an appearance as co-counsel of record for the Plaintiff...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
emmythegremlin v. roy405 [2026] DCR 24
OBJECTION - COUNTER TO HEARSAY (Post #61)
The Defendant objects that IamJeb_'s statement "killed someone and it removed 5 pages of work from a guy" constitutes hearsay because IamJeb_ has not yet...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
emmythegremlin v. roy405 [2026] DCR 24
MOTION TO ADMIT SUPPLEMENTARY AUTHENTICATION EXHIBITS, FOR A BRIEF STAY TO OBTAIN REMAINING STAFF CONFIRMATIONS, AND IN THE ALTERNATIVE TO ADD SERVER STAFF AS WITNESS
The Plaintiff moves the Court to...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
emmythegremlin v. roy405 [2026] DCR 24
MOTION - REQUEST FOR CLARIFICATION ON EVIDENCE CORROBORATION
Your Honour, the Court's order in Post #56 noted that logs may be corroborated through "staff discussion, posting, or witness testimony" per...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
emmythegremlin v. roy405 [2026] DCR 24
MOTION TO RECONSIDER - PERJURY ESTOPPEL (Post #51)
The Plaintiff respectfully moves this Court to reconsider the estoppel issued in Post #51, and in support thereof provides the explanation the Court...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
emmythegremlin v. roy405 [2026] DCR 24
OBJECTION - COUNTER TO IMPROPER EVIDENCE (Post #43)
The Defendant's objection asks this Court to strike P-001, P-006, P-007, P-009, and P-010 solely on the basis that they are text files and therefore...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
emmythegremlin v. roy405 [2026] DCR 24
PLAINTIFF'S RESPONSE IN OPPOSITION TO DEFENDANT'S MOTION TO DISMISS
The Plaintiff respectfully opposes the Motion to Dismiss (Post #45) and alleges:
I. THE STANDARD
Rule 5.5 requires "insufficient...
COMMONWEALTH OF REDMONT
DISTRICT COURT
emmythegremlin v. roy405
Case No. [2026] DCR 24
PLAINTIFF'S OPENING STATEMENT
Presented by: xXTheoryXx, Talion & Partners LLC, on behalf of Plaintiff emmythegremlin
——————————————————————
I. INTRODUCTION
Your Honour, this case is about a writer who...
Your Honor,
I respectfully request a 48-hour extension to submit my opening statement.
Due to a scheduling conflict, I am unable to meet the current 72-hour deadline.
I apologize for any inconvenience and appreciate the Court's consideration.
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
emmythegremlin v. roy405 [2026] DCR 24
WITNESS LIST
Pursuant to Rule 4.9, the Plaintiff hereby submits the following witnesses for testimony at hearing:
1. .CaldironJa1 — Property owner of plot c135. Will testify to the Plaintiff's...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
emmythegremlin v. roy405 [2026] DCR 24
MOTION TO COMPEL - DOCUMENT REQUESTS
The Plaintiff moves that the Court order the Defendant to provide a proper response to the Plaintiff's Document Requests submitted during Discovery, and in support...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
emmythegremlin v. roy405 [2026] DCR 24
NOTICE OF FAILURE TO COMPLY
The Plaintiff respectfully notifies the Court that the Defendant's counsel, Babysoga4real, has failed to respond to the Motion to Compel (Post #18) within the 48-hour window...
Username: xXTheoryXx
Total Playtime: 4 days 1 hour 55 minutes
When are you most active? CET/CEST (Amsterdam, UTC+1/+2)
active during the day, evenings and weekends.
Requirements:
- Minimum of 24 hours of play time.
- I am available on Discord.
- I show in my application why you are best...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
emmythegremlin v. roy405 [2026] DCR 24
MOTION TO COMPEL
The Plaintiff moves that the Court order the Defendant to provide a complete and proper answer to Interrogatory 1 of the Plaintiff's Discovery Request (Post #17), and in support...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
emmythegremlin v. roy405 [2026] DCR 24
PLAINTIFF'S DISCOVERY REQUEST
The Plaintiff, emmythegremlin, represented by xXTheoryXx of Talion and Partners LLC, hereby submits the following requests to the Defendant, roy405, pursuant to the Court's...
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