We were planning to your honor but it was my birthday this weekend and like I said I did have that exam I needed to study for so I really didn't have the time to create a response to the motion for summary judgement so I forfeited my right to a response by myself.
However your honor in...
Your honor as stated the defense has been very busy this week so they haven’t had the time to come up with a response so as such they did not exercise their right to respond and therefore should not be found in contempt
@Muggy21 May the defense have an extension I have a huge history exam tomorrow and I won't be able to respond tonight tomorrow or Saturday so the defense is respectfully asking for an extension until Sunday due to irl commitments
Also your honor how would you like to proceed with this as this may get tricky as two cases are going on at once do you want to do one at a time or both simultaneously. I am also preparing my objections to be submitted tomorrow as it is quite late at the moment for the counter-defendant and...
IN THE FEDERAL COURT OF REDMONT
OBJECTION - PERJURY
The defendant claims that P-002 is the formation document of LeafLuxury LLC however this is not true, they have intentionally attached an old copy of the formation document in attempts to hide the fact that LeafLuxury LLC has a clause...
IN THE FEDERAL COURT OF REDMONT
OBJECTION - PERJURY
RiggoSoft does not own any part of LeafLuxury LLC and has never owned any equity in LeafLuxury LLC, the plaintiff's counsel knew this as they themselves had linked LeafLuxury LLC's formation document which said
We respectfully ask the court...
Your honor before you rule on these please allow the counter-defendant to submit some objections to the counter-plaintiff's rebuttal to the motions presented by the counter-defendant
IN THE DISTRICT COURT OF REDMONT
MOTION TO DISMISS (Section 3.1)
Frivolous Claims
As established by the Whistleblowers Act
The counter-plaintiff claims that the counter-defendant had committed Breach of Contract under the RCCA, however by the counter-defendant and Oakridge Community Bank...
IN THE DISTRICT COURT OF REDMONT
MOTION TO DISMISS (Section 3.2)
Lack of Jurisdiction
The counter-defendant brings this motion to court
As established by the Criminal Code Act
The counter-plaintiff's claim for relief based off of fraud cannot be given as no one has tried the...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
CIVIL ACTION
RiggoSoft
Plaintiff
v.
dimitre977
Defendant
COMPLAINT
The Plaintiffs complains against the Defendant as follows:
Written Statement
I. Parties
1. Oakridge Community Bank (The bank, the company the defendant was employed by...
Your honor @Muggy21 as this has nothing to do with the myself as a co plaintiff and no objection to my motion of nolle prosecui for myself may I ask for a ruling on my motion. Additionally I believe @Dogeington will be responding to the brief on behalf of OCB shortly.
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