PLAINTIFF’S RESPONSE TO DEFENDANT’S OBJECTIONS TO WITNESS QUESTIONS
Your Honour, I’ve included the Defendant’s objections in quotation boxes throughout for clarity. Many of the objections are repetitive, so the Plaintiff addresses them in groups where relevant, for efficiency.
To save the...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
PLAINTIFF’S CONSOLIDATED LIST OF WITNESS QUESTIONS
Your Honour, the Plaintiff’s consolidated list of witness questions is laid out below.
Witness 1: jsrkiwi, Plaintiff
Questions re logs, sales, and travel
Questions 1-18 relate to the...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
jsrkiwi v Department of Construction & Transportation [2025] FCR 112
OPENING STATEMENT
Your Honour, and may it please the court.
This case is deeply about fairness, market integrity, and equal enforcement. The evidence will show that DCT...
The Plaintiff apologises to Your Honour and this Honourable Court for the delay in filing this opening statement.
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
jsrkiwi v Department of Homeland Security [2025] DCR 93
OPENING STATEMENT
Your Honour, and may it please the court.
This...
PLAINTIFF’S RESPONSE TO DEFENDANT’S RULE 5.5 MOTION
Your Honour,
The Defence incorrectly reframes the third claim for relief as a simple evidentiary dispute about when a book was updated. That is not what the claim is about. The claim is part of a broader allegation that the Department of...
PLAINTIFF'S RESPONSE TO DEFENDANT'S OBJECTION (#42)
Your Honour,
Exhibit P-201 is directly tied to the Plaintiff’s planned questioning of Vernicia. It includes her sworn testimony regarding the context of Exhibit P-111. It is required to prevent Vernicia from giving misleading context...
RULE 4.6 EVIDENCE SUBMISSION
This might be improper, since these documents are already preserved on the forum. However, to ensure that the record is complete, the Plaintiff enters the following into evidence under Rule 4.6:
P-201: Testimony by Vernicia in the case jsrkiwi v Trentrick_Lamar...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
MOTION FOR NOLLE PROSEQUI
The Plaintiff, in light of Your Honour’s ruling on the Defendant’s Rule 5.5 motion, and recognising that the matter cannot be successfully pursued further, respectfully moves that the Court discontinue the...
PLAINTIFF’S RESPONSE TO DEFENCE’S INTERROGATORIES
1. Have you ever entered the property C995 other than by warping to a /home?
Yes.
2. Have you ever entered the property c108 other than by warping to a /home?
Yes.
3. What does the Plaintiff understand “read before entry” to mean, as shown in...
RULE 4.6 EVIDENCE SUBMISSION
Persuant to rule 4.6, the Plaintiff enters the following into evidence:
P-111: The entirety of all Discord direct messages between Vernicia and jsrkiwi as of 21st November 2025.
PLAINTIFF'S WITNESS LIST
The Plaintiff will not be adding any additional witnesses at this time. The witness list, therefore, remains as originally filed:
jsrkiwi
Vernicia
Goldendude15
Roryyy_
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO COMPEL
Your Honour, the Plaintiff seeks to compel the following from the Defendant:
Production of all records and evidence held by the DHS in respect of the five charges against jsrkiwi of Trespass, except for those already...
RESPONSE TO OBJECTION
Your Honour, I respectfully submit that the defence’s objection mischaracterises the nature of the question. The form of the question (‘To the best of your recollection, recount the events of 9th November 2025’) is a proper, permissible open-ended question and not a breach...
CONSOLIDATED LIST OF WITNESS QUESTIONS
In accordance with the Trial Protocol and Rules filed as #43 on 16th November 2025 by His Honour Judge Mug, the Plaintiff’s questions for witnesses are listed below. There are follow-up questions included. Please note, as Trentrick_Lamar is the Defendant...
I apologise Your Honour, I am unaware of the methods that staff use to search logs, and was not aware that such a search would be time-consuming for staff to carry out.
Would Your Honour consider including a significantly more limited version of the request:
3. Any logs or other records...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
Your Honour, and may it please the Court.
This case centres on defamatory remarks made by the Defendant, Trentrick_Lamar, in response to a witness statement filed by the Plaintiff, jsrkiwi, in ticket dhs-25340 (exhibit P-001). In that...
REQUEST TO AMEND MOTION TO COMPEL
The Plaintiff respectfully seeks leave of this Honourable Court to amend the pending Motion to Compel Production of Staff Records to include the following additional request as paragraph 3 of the requested materials:
3. Any logs or other records showing when...
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