1. Perjury is when "When a witness intentionally lies or misrepresents facts under oath. Proof of perjury should be presented with the objection." I am not a witness their for I am not subject to an objection due to perjury
2. The evidence in P-004 clearly shows that the goals were caught by a...
Your Honnor,
The Defendant has shown us nothing but a past of misconduct and abuse within the department. This event is not a one off event that has occurred, the defendant has set a precedent of malicious actions that have now resulted in a loss of the plaintiff.
Actions such as these have...
Your Honour,
Both cases presented by the Defence — [2025] FCR 78 and [2023] FCR 27 — involved government employees acting within the scope of their duties, without any removal from office or history of misconduct. In contrast, the present case concerns an individual with a documented record of...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
CIVIL ACTION
Lex Titanum (Formerly Titan Law)
Plaintiff
v.
The Commonwealth of Redmont
Defendant
COMPLAINT
The Plaintiff complains against the Defendant as follows:
WRITTEN STATEMENT FROM THE PLAINTIFF
I. PARTIES
1. Lex...
The Defence’s claim to immunity rests on the hollow premise that working under the Department of Public Affairs somehow shields them from any personal liability. This is a distortion of both law and logic. Immunity for police officers exists to protect necessary law enforcement actions from...
Your Honour,
With respect, I question the necessity of this step. To my knowledge, such a stage is not outlined as part of the official court procedure under the Court Rules. Discovery has already concluded, and the next procedural step would ordinarily be to proceed with option statements or...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
CIVIL ACTION
Dearev (Represented by Lex Titanum)
Plaintiff
v.
YeetGlazer
Defendant
COMPLAINT
The Plaintiff complains against the Defendant as follows:
WRITTEN STATEMENT FROM THE PLAINTIFF
I. PARTIES
1. Dearev - Plaintiff
2. YeetGlazer...
1. As per P-003 and P-001 The defendant informed that he was not able to pay after making a legally biding bid on the DCT Eviction Auction.
2. I did not reply.
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
RESPONSE TO MOTION
Your Honour,
Rule 5.1 of the Court Rules states: "A Motion to Dismiss must specify the Discovery Rule that a lawyer wishes to submit under." The defence has failed to comply with this requirement. Consequently, the motion...
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