IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
RESPONSE TO MOTION TO DISMISS
Your Honour,
The Plaintiff submits this response opposing the Commonwealth’s Motion to Dismiss.
The motion to dismiss misunderstands the nature of the eighth claim. Although the Complaint used the phrase...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
EMERGENCY MOTION FOR INTERIM ORDER BARRING ARREST AND IMPRISONMENT OF THE PLAINTIFF PENDING RESOLUTION OF THIS ACTION
The Plaintiff respectfully moves this Court, on an emergency basis, for an immediate interim order prohibiting the...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
CIVIL ACTION
jsrkiwi
Plaintiff
v.
Department of Homeland Security
Defendant
COMPLAINT
The Plaintiff complains against the Defendant as follows:
WRITTEN STATEMENT FROM THE PLAINTIFF
I. PARTIES
1. jsrkiwi: Plaintiff, a citizen subject to...
RESPONSE TO DEFENDANT'S OBJECTION TO DISCOVERY REQUEST
The Defendant’s objection fails because the requested logs go directly to the question of his state of mind at the moment of the killing. His claim of self-defence hinges on whether he genuinely faced an 'imminent threat'. The screenshot...
MOTION TO COMPEL
The Plaintiff seeks to compel the release of the following logs, by this Court issuing an Order to the staff team for the production of the following:
1. Any and all logs that relate to Urb5n covering the period 19:11:00 UTC to 19:13:00 UTC on 9th November 2025.
2. For each...
DISCOVERY REQUESTS
Persuant to rule 4.7, the Plaintiff requests the following from the Defendant:
1. Full minecraft logs of Trentrick_Lamar covering the period 19:11:00 UTC to 19:18:00 UTC on 9th November 2025.
WITNESS LIST
Pursuant to Rule 4.9, the Plaintiff adds the following witnesses to...
REBUTTAL TO DEFENDANT’S RESPONSE TO PLAINTIFF’S MOTION FOR PROTECTIVE ORDER AND EXCLUSION OF VERNICIA FROM THIS LITIGATION
While the Court’s Rules and Procedures do not expressly provide for a “Rebuttal”, the Plaintiff respectfully submits this rebuttal in the interests of fairness and...
The amendment was to remove a blank line before the title "IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT", and to add bold formatting to headings.
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION FOR PROTECTIVE ORDER AND EXCLUSION OF VERNICIA FROM THIS LITIGATION
The Plaintiff respectfully submits this motion, due to the urgency of the matter arising from MZLD’s egregious conduct as detailed below.
The Plaintiff moves the...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO WITHDRAW PORTIONS OF COMPLAINT
The Plaintiff, jsrkiwi, respectfully moves this Court, in light of the Court’s Order at 04:21 UTC on 10 November 2025, to withdraw certain portions of the Complaint to simplify the case, and in support...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
EMERGENCY MOTION TO PRESERVE EVIDENCE
The Plaintiff, jsrkiwi, respectfully moves this Court to order Defendant, Trentrick_Lamar, to preserve all Minecraft logs covering at least the period 19:11:00 UTC to 19:18:00 UTC on 9th November 2025, and...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
CIVIL ACTION
jsrkiwi
Plaintiff
v.
Trentrick_Lamar
Defendant
COMPLAINT
The Plaintiff complains against the Defendant as follows:
WRITTEN STATEMENT FROM THE PLAINTIFF
I. PARTIES
1. The Plaintiff is jsrkiwi.
2. The Defendant is...
PLAINTIFF’S MOTION TO RECUSE ATTORNEY GENERAL KAISERIN_ FROM OVERSIGHT OF THIS CASE
The Plaintiff respectfully moves this Honourable Court to order that Attorney General Kaiserin_ be excluded from overseeing, supervising, or otherwise exerting influence over this case, for the following...
PLAINTIFF’S PROVISIONAL WITNESS LIST
Pursuant to Rule 4.9
Witnesses:
jsrkiwi – Plaintiff
Testimony: Lay facts necessary to establish standing, including personal observations of government-owned properties, and the effect of DCT’s enforcement practices on the supply of property plots.
Katto...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
SUPPLEMENT TO PLAINTIFF’S MOTION TO COMPEL AND MOTION FOR SANCTIONS
The Plaintiff supplements the pending Motion to Compel as follows.
1. After the filing of the Motion to Compel, the Defendant served purported interrogatory responses.
2...
PLAINTIFF’S SUPPLEMENTAL REQUEST FOR DISCOVERY
Pursuant to Rule 4.7, the Plaintiff requests the following from the Defendant:
1. Plot s024
All documents, messages, communications, or memos within DCT or other government department Discord servers or the DC forum containing the text “s024”...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO COMPEL AND MOTION FOR SANCTIONS
The Plaintiff, jsrkiwi, moves this Honourable Court for an order compelling the Defendant to comply with discovery requests and interrogatories, already served pursuant to Rules 4.7 and 4.8.
GROUNDS...
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