Plaintiff acknowledges the four-hour delay and apologises to the Court. However, the Defense suffers no prejudice, their 24-hour objection window has not yet begun to run and they remain in the same position as if the questions were filed on time. Striking the questions entirely would be...
IN THE DISTRICT COURT
emmythegremlin v. roy405 | [2026] DCR 24
PLAINTIFF'S FOLLOW-UP QUESTIONS TO WITNESS .CaldironJa1
Plaintiff respectfully submits the following follow-up questions to the direct examination testimony of witness .CaldironJa1 (Post #102).
Q16. Plaintiff's Exhibit P-007 is...
DIRECT EXAMINATION OF WITNESS .CaldironJa1 - RESUBMISSION
emmythegremlin v. roy405 [2026] DCR 24
Resubmitted pursuant to Court Order at Post #95.
Foundation & Role
1. Please state your in-game name, identify by name the commercial property located at plot c135, and describe your role there...
Plaintiff's Response to Court Inquiry - Post #92
Your Honor,
The Plaintiff respectfully requests that the Court treat all references to "FAS" and "the FAS plot" in the consolidated direct examination filed at Post #87 as references to "SAGARANA Bookstore" and "the SAGARANA Bookstore plot," and...
NOTICE OF CLARIFICATION ON WITNESS DIRECT EXAMINATION
emmythegremlin v. roy405 [2026] DCR 24
To the Honorable Court:
The Plaintiff respectfully clarifies a labeling matter in the consolidated direct examination of witness .CaldironJa1 filed at Post #87 and in the Plaintiff's response to...
These are foundational identification questions. Q1 itself asks the witness to state his role and the plot, which is the standard mechanism by which foundation is laid in direct examination. The witness, on his appearance in this case at Post #76, identified himself in his signature as Secretary...
NOTICE OF PROCEDURAL ERROR AND REQUEST FOR DIRECTION
emmythegremlin v. roy405 [2026] DCR 24
To the Honorable Court:
The Plaintiff respectfully informs the Court of a procedural error in the direct examination of witness IamJeb_.
On April 27, 2026, the Plaintiff posted direct examination...
DIRECT EXAMINATION OF WITNESS
.CaldironJa1, Co Proprietor, FAS
Foundation & Role
1. Please state your in-game name and identify your role at the FAS plot.
2. How long have you served in that role?
3. In that role, what are your responsibilities concerning the FAS plot and the writers who...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
emmythegremlin v. roy405 [2026] DCR 24
NOTICE OF APPEARANCE OF CO-COUNSEL
The Plaintiff respectfully notifies the Court that @TheSnowGuardian , of Talion & Partners INC., hereby enters an appearance as co-counsel of record for the Plaintiff...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
emmythegremlin v. roy405 [2026] DCR 24
OBJECTION - COUNTER TO HEARSAY (Post #61)
The Defendant objects that IamJeb_'s statement "killed someone and it removed 5 pages of work from a guy" constitutes hearsay because IamJeb_ has not yet...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
emmythegremlin v. roy405 [2026] DCR 24
MOTION TO ADMIT SUPPLEMENTARY AUTHENTICATION EXHIBITS, FOR A BRIEF STAY TO OBTAIN REMAINING STAFF CONFIRMATIONS, AND IN THE ALTERNATIVE TO ADD SERVER STAFF AS WITNESS
The Plaintiff moves the Court to...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
emmythegremlin v. roy405 [2026] DCR 24
MOTION - REQUEST FOR CLARIFICATION ON EVIDENCE CORROBORATION
Your Honour, the Court's order in Post #56 noted that logs may be corroborated through "staff discussion, posting, or witness testimony" per...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
emmythegremlin v. roy405 [2026] DCR 24
MOTION TO RECONSIDER - PERJURY ESTOPPEL (Post #51)
The Plaintiff respectfully moves this Court to reconsider the estoppel issued in Post #51, and in support thereof provides the explanation the Court...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
emmythegremlin v. roy405 [2026] DCR 24
OBJECTION - COUNTER TO IMPROPER EVIDENCE (Post #43)
The Defendant's objection asks this Court to strike P-001, P-006, P-007, P-009, and P-010 solely on the basis that they are text files and therefore...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
emmythegremlin v. roy405 [2026] DCR 24
PLAINTIFF'S RESPONSE IN OPPOSITION TO DEFENDANT'S MOTION TO DISMISS
The Plaintiff respectfully opposes the Motion to Dismiss (Post #45) and alleges:
I. THE STANDARD
Rule 5.5 requires "insufficient...
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