IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO DISMISS
Your Honor,The Defense humbly requests that the Plantiff’s complaint be dismissed in its entirety under Rule 5.5 (Lack of Claim) due to a lack of evidence, and in support thereof alleges:
Due to the court ruling to strike...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO STRIKE
The Defendant moves that the document P-001 be struck from the court record on the basis that editable text logs on their own, lacking a secondary source of verification, are insufficient evidence - as established in...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - IMPROPER EVIDENCE
Under Rule 4.6 of the deprecated Court Rules and Procedures, the document presented in this case filing is not labeled using the correct P-### formatting. As permissible under this rule, the Defendant requests...
Your Honor, respectfully, the objection additionally refers to the "Google Doc Evidence" in the Plaintiff's original case filing, which is similarly unlabeled. The Defendant wished to request that this also be struck for improper formatting.
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - IMPROPER EVIDENCE
The document and screenshots presented by the Plaintiff are not adequately labeled as required by Rule 4.6 under the deprecated version of the Court Rules and Procedures, which pertain to this case. The Defendant...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
CLOSING STATEMENT
Your Honor,
The Defendant entered into a verbal contract in global chat with the Plaintiff that included simple terms: a $1,000 loan would be met with a $1,050 repayment; following this, the Plaintiff sent $1,000 to the...
The Plaintiff asks the following of @julimonki:
What is it that the Defendant seems to do in P-001?
2. What did you do after the Defendant's actions in P-001?
Notice to the Court
Your Honour,
On behalf of the Plaintiff, Noadenmark, Talion & Partners INC. respectfully welcomes Your Honour to this matter following the voluntary recusal of the prior judicial officer.
For the Court's convenience, the following items are presently open:
1. Motion for...
In order to have submitted the evidence, the CDefendant had to have observed the CPlaintiff's statement. My answer to the interrogatory was explaining why the CDefendant filed this suit despite the CPLaintiff's statement; said statement cannot dispute the CDefendant's claim to repayment because...
The CDefendant submits these answers to the CPlaintiff's interrogatories:
1. What specific communication from the CPlaintiff established an agreed repayment of $2,100 rather than $1,050?
When the CPlaintiff requested the second loan of $1,000, he followed this request with the statement “so...
Your Honor, as I have previously stated, my answer to the counterclaim will easily provide answers to the interrogatory. I did not file said answer because I was awaiting the court's permission to do so during discovery. I was not given leave to file it, and therefore I did not. Respectfully...
Your Honor, I will be representing the Plaintiff on behalf of Talion & Partners INC.
I'd like to ask leave of the court to file a response to the Defendant's counterclaim before discovery begins.
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