IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
CIVIL ACTION
Volt Bank, Inc. (represented by ToadKing)
Plaintiff
v.
Alta Group Corporation
Defendant
COMPLAINT
The Plaintiff complains against the Defendants as follows:
I. PARTIES
1. Volt Bank, Inc.
2. Alta Group Corporation
3. 12700k...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION FOR EMERGENCY INJUNCTION
Your Honour,
Plaintiff respectfully requests that the Court issue an emergency injunction to halt the ongoing government auction of Plot S105 and prohibit any transfer or sale of said property pending...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO NOLLE PROSEQUI
The Court's identification of asexualdinosaur as the owner and operator of Anchor Watch has revealed circumstances that extend beyond the scope of this proceeding. The Plaintiff was serving as legal counsel for...
Your Honour,
Plaintiff responds to the Court's ORDER TO SHOW CAUSE regarding discovery requests.
I. FRAMEWORK OF CLAIMS AND DEFENCES
To provide context, Plaintiff's claims are:
Claim 1: Unfair Dismissal under Section 7(1) of the Commercial Standards Act, specifically Section 7(1)(d) permitting...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
CIVIL ACTION
ToadKing
Plaintiff
v.
Anchor News
Defendant
COMPLAINT
The Plaintiff complains against the Defendants as follows:
I. PARTIES
1. ToadKing
2. Anchor Watch (owner/operator currently unknown to Plaintiff)
II. FACTS
1. On or...
Pursuant to Rule 4.7 (Request for Discovery, Opposing Party Movement), the Plaintiff requests the Defendant to produce the following materials relevant to the case:
13. Any and all documents or information relating to the purported "classified government plan" known as "slipknot" (D-008)...
Pursuant to Rule 4.7 (Request for Discovery, Opposing Party Movement), the Plaintiff requests the Defendant to produce the following materials relevant to the case:
1. All case assignments and work product for State Prosecutor Nacho from April 2025 to present, including:
List of all cases...
Your Honour,
The Commonwealth's perjury objection should be denied for the following reasons:
I. THE COMMONWEALTH MISCHARACTERISES THE COMPLAINT THROUGH SELECTIVE QUOTATION
The Commonwealth quotes:
This selective quotation creates a misleading impression. The complete statement reads:
Read...
Your Honour,
The Plaintiff will file a substantive response to the Commonwealth's 2nd Objection within the timeframe permitted under Court Rules. Plaintiff respectfully requests that the Court refrain from ruling on the objection until Plaintiff's response has been filed and considered.
Your Honour,
Plaintiff agrees with the Commonwealth's Motion to Dismiss.
If the Department of Justice has compensated AsexualDinosaur for all outstanding salary and wages from his employment during November 2025, then Prayer for Relief 1 seeking compensatory damages is moot.
Final payments...
Your Honour,
As the Defendant lacks Discord, I have taken it upon myself to uncover the Defendant's forum account.
To ensure they are properly notified, and to ensure the case filing is accurately reflected, I request leave of this court to update the case filing to include the Defendant's...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
CIVIL ACTION
Muggy21 (represented by ToadKing)
Plaintiff
v.
Riverardd (aka @Mrriverardd)
Defendant
COMPLAINT
The Plaintiff complains against the Defendants as follows:
I. PARTIES
1. Muggy21
2. Riverardd (aka @Mrriverardd)
II. FACTS
1. On...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
EXPLANATORY BRIEF
RE: Settlement Negotiations in Pepecuu v. MattTheSavvy [2025] FCR 100
I respectfully submit this explanatory brief, as authorised by the Court's Order, to provide context regarding my role in negotiating the settlement...
Your Honour,
I respectfully notify the Court of my intention to request permission to submit a short explanatory brief regarding my role as Public Defender in Pepecuu v MattTheSavvy [2025] FCR 100, specifically concerning the negotiation and structure of the settlement agreement adopted by the...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO RECUSE
Plaintiff requests that Magistrate dearev, the sole Magistrate in the DCR, recuse from this case as they are a named witness.
Plaintiff requests that an FCR judge be assigned to this case.
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
CIVIL ACTION
asexualdinosaur (represented by ToadKing)
Plaintiff
v.
Commonwealth of Redmont
Defendant
COMPLAINT
The Plaintiff complains against the Defendants as follows:
I. PARTIES
1. asexualdinosaur
2. Kaiserin_ (Attorney General)
3...
Username: ToadKing__
I am representing myself
What Case are you Appealing?: [2025] SCR 18
Link to the Original Case: Lawsuit: Adjourned - ToadKing v. Commonwealth of Redmont [2025] SCR 18
Basis for Appeal:
I. INTRODUCTION
The Appellant respectfully requests that this Court reconsider its...
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