IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
RESPONSE TO MOTION FOR EMERGENCY INJUNCTION
To quote Justice Matthew100x,
Now, I ask this court what harm would be prevented by granting this emergency injunction? Neither of my clients have assets even close to the requested amount. If the...
No, sorry. The last bit got cut off there.
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO DISMISS
The co-defense moves for a partial dismissal under Rule 5.7 (Failure to Include Party). Specifically, we request that Loose_Leaf_ and Sergeant__Balls be dismissed from this...
Again, here on behalf of my two clients.
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO DISMISS
The co-defense moves for a partial dismissal under Rule 5.7 (Failure to Include Party).
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO RECONSIDER
Your honor, my clients only just received notice of this case moments ago. To grant a modification of the emergency injunction without giving them a chance to respond is clearly not in line with precedent set in Appeal...
Your honor, I have to come to a settlement with the lead plaintiff, ZxRiptide, regarding plot c006.
IN THE FEDERAL OF THE COMMONWEALTH OF REDMONT
MOTION TO DISMISS WITH PREJUDICE
The co-defence moves that the complaint in this case be dismissed in part and respectfully puts forward:
1. No...
Your honor, speaking for myself, I am personally willing to stay proceedings until such time all parties are able to make effective representation. I am in no rush as co-defendant to adjuticate my claims as I still retain control of plot c006 at this time.
I have no objection to any request by...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
ANSWER TO COMPLAINT BY ZxRiptide (ON BEHALF OF MJL_)
ZxRiptide, et al.
Plaintiff
v.
MasterCaelen, et al.
Defendant
ANSWER TO COMPLAINT
1. NEITHER AFFIRMS NOR DENIES facts 1-6; NOTING that the contract present in P-Z001 (which should be...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO RECONSIDER
Your honor, Plaintiff and Counter-Defendant is now selling off all his real estate assets at below market value. A freeze on his assets is badly required here. Not all of the properties have not been transferred, so it...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO COMPEL
The Defense and Counter Plaintiff hereby submits the following requests to the Plaintiff and Counter Defendant pursuant to the Court's Discovery Rule 4.8 (Interrogatories). All responses are required within 48 hours...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
ANSWER TO COMPLAINT BY Pepecuu (ON BEHALF OF MJL_)
ZxRiptide, et al.
Plaintiff
v.
MasterCaelen, et al.
Defendant
I. ANSWER TO COMPLAINT
1. NEITHER AFFIRMS NOR DENIES facts 1-12; NOTING that Plot C006 is not listed among the plots used as...
First of all, I would like to apologize to this court for using the name "ftlceo" instead of "12700k". It had not occurred to me that they might be the same player. As the deportation happened before my time, this information was not readily apparent to me.
Your honor, I would like to inquire...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT ANSWER TO COMPLAINT
ANSWER TO COMPLAINT BY Jakkuwu (ON BEHALF OF MJL_)
ZxRiptide, et al.
Plaintiff
v.
MasterCaelen, et al.
Defendant
I. ANSWER TO COMPLAINT
1. NEITHER AFFIRMS NOR DENIES facts 1-23; NOTING that Plot C006 is not one of the...
Only in part does the defence (and counter-plaintiff) agree that plaintiff (and counter-defendant)'s answer serve to sufficiently respond to the request.
1. For Request 1, plaintiff (and counter-defendant) does not deny that these communications exist. ftlceo was, very briefly, an accountant at...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
MOTION FOR EMERGENCY INJUNCTION
Your honor, a party to this case, Riggosoft, has abrubtly announced the closure of OCB and encouraged clients to withdraw assets ("D-E01").
This action, along with Riggosoft's transfer of OCB shares to the...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO COMPEL
The Defense and Counter Plaintiff hereby submits the following requests to the Plaintiff and Counter Defendant pursuant to the Court's Discovery Rule 4.7 (Request for Discovery, Opposing Party Movement).
Document requests...
In-Game Name: DC-TCG
Business Name (if applicable): sole-proprietorship
Location Of Business: (if applicable): c006, or-sp-03
Business Description (if applicable): Bookstore
Name Of Grant: Renovations Grant
Reason: I would like to build at or-sp-03 a similar machine to the one at c006 to...
Your honor, Plaintiff has not responded to this request nor asked for an extension. I understand I am not a priority given my interest only pertains to a single plot at dispute in this case, but I believe I am entitled to fair and equal treatment within this court.
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