Your honor,
May it please the Court, I would like to file an *amicus curiae* brief solely with respect to the motion for default judgement, should the Court not be inclined to dismiss the motion *sua ponte*.
Your honor,
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO COMPEL
Your honor,
We are over 1/4 of the way through discovery at this point. The Plaintiff noted its requests of the defense earlier, and (while they have not objected to any requests) the defense has yet to respond...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO AMEND
Your honor,
It has come to my attention that there was an editing error in the above request for discovery—the wrong agency was referred to in request 10, rendering requests 9 and 10 as being accidentally duplicates.
For this...
Your honor,
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
REQUESTS FOR DISCOVERY
Under Rule 4.7 (Request for Discovery, Opposing Party Movement), "[p]rior to the end of Discovery, a party may move to request documents, messages, or screenshots from the opposing party."
Reserving the...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO STRIKE
Your honor, the plaintiff respectfully asks that the quoted motion filed by a non-party who is not counsel to either party be stricken from the record of this case.
Your Honor:
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO AMEND
Fact 12 of the original complaint stated that "Plaintiff Gnomewhisperer is the sole equity owner of co-Plaintiff GnomeCorp."
The Plaintiffs seek to amend this line to read "Plaintiff Gnomewhisperer is the sole...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO STRIKE
The Plaintiff moves that the sentence in Defense's Response to complaint:
"NOTING that the evidence filed in defense of this claim had been tampered with and is therefore inadmissible"
be struck from the record, as:
The...
Your honor,
TO MOTION TO DISMISS
Plaintiffs respectfully oppose the Commonwealth's Motion to Dismiss, which invokes Rule 5.5 (lack of claim), Rule 5.12 (lack of personal jurisdiction), and Rule 2.1 (standing). As shown below, each asserted ground for dismissal is unfounded under the Laws and...
Your Honor,
TO OBJECTION
The Defense refers to two images submitted by the Plaintiff in support of the very simple fact that "Gnomewhisperer and Gnomecorp each held accounts at financial institution Volt during the so-called ‘bank holiday’". While this fact is doubtlessly known to be true by...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - PERJURY
The defense is doubtlessly aware that the Plaintiffs were affected by what the defense deem an application of the law: the so-called "bank holiday" itself. The defense, indeed, has AFFIRMED that the actions of the...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION OF NOLLE PROSEQUI
Your honor,
The Commonwealth and the Plaintiff have accepted a settlement in regards to this matter. The terms are as follows:
In light of this settlement's acceptance by the Commonwealth, the Plaintiff considers...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
CIVIL ACTION
GnomeWhisperer and GnomeCorp
Plaintiffs
v.
Commonwealth of Redmont
Defendant
COMPLAINT
The Plaintiff complains against the Defendant as follows:
WRITTEN STATEMENT FROM THE PLAINTIFFS
I. PARTIES
1. GnomeWhisperer
2...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION FOR EMERGENCY INJUNCTION
On the UTC Morning of 16 May 2025, The Department of Commerce issued an announcement in the #govermnent-announcements channel on the DemocracyCraft Discord. The announcement instructed that "All financial...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
CIVIL ACTION
Plura72 (represented by Mezimoří Law)
Plaintiff
v.
Commonwealth of Redmont
Defendant
COMPLAINT
The Plaintiff complains against the Defendant as follows:
WRITTEN STATEMENT FROM THE PLAINTIFF
I. PARTIES
1. Plura72
2...
I would like to add a clarifying point. My username given above is that which is my forum username; the directions were ambiguous. My in-game username is "Multiman155".
Username: Franciscus
Business Name General Store & Pharmacy, LLC
Type of Firm Liability Company (LLC)
Headquarters Location airport-shop
Purpose of Business The Members shall decide the purpose of the firm. As of the signing of this document, the purpose of this company is to engage...
- Client Name: Multiman155
- Counsel Name: Multiman155
- Were you originally the plaintiff or the defendant: Plaintiff
- Reason for the Appeal: The district court incorrectly dismissed the Plaintiff's case.
The district court wrote that "Deported players cannot speak in game or in discord and...
RESPONSE TO MOTION
The Plaintiff respectfully disagrees with the defense's motion, and asks Your Honor to deny it.
Below, the Plaintiff first shows that the Defense's characterization of the second claim for relief is simply erroneous. Then, the Plaintiff contests the Defense's argument...
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