IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
RESPONSE TO MOTION TO DISMISS
The Plaintiff respectfully requests that the Court deny the above Motion to Dismiss for the following reasons:
I. The Co-Defence Needs to Open It's Eyes
The Co-Defence submitted this Motion to Dismiss under Court...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - BREACH OF PROCEDURE
Your Honour, Co-Defendant's attorney made himself known to the Court in Post No. #9.
This Motion to Dismiss addresses claims specifically made against the Defendant and not the Co-Defendant.
Claims against the...
Your Honour, the Defendant and Co-Defendant is perfectly able to form a defence and affirm or dispute facts within the complaint if we look at the contents of this MtD. In interest of an efficient Court proceeding, I urge the Court to not toll the Defence or the Co-Defence's deadline for answer...
Discussion of protocol when the Attorney representing the Defendant is called to testify and any further concerns that would best not flood Your Honour's Docket.
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - Breach of Procedure, Assumes Facts not in Evidence
Your Honour,
I do not believe the complaint stated that the information released was a political opinion, but rather that the underlying cause for sharing said information was...
Your Honour,
I humbly apologise but the Plaintiff's lead counsel has been caught up with irl legal work and I am not available throughout the weekend.
I humbly ask the Court to grant us an extention on witness questions till Monday evening EST.
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
CIVIL ACTION
mar_milk
(Plaintiff)
v.
Plura72,
Social Democrat Party
(Defendant(s))
COMPLAINT
The Plaintiff complains against the Defendant as follows:
WRITTEN STATEMENT FROM THE PLAINTIFF
I. PARTIES
1. mar_milk (known as Plaintiff)
2...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
BREACH OF PROCEDURE
Your Honour,
If the Plaintiff believes that the Commonwealth has intentionally misled or possibly misled this Court then I would implore the Plaintiff to file a perjury objection where the CW would have enough opportunity...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
MOTION FOR SPECIAL ACCOMMODATION OF WITNESS TESTIMONY
Your Honor,
The Plaintiff respectfully moves this Court for a special accommodation regarding the testimony of witness IamJeb_, who has been properly listed during discovery pursuant to...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO NOTE ADMISSIONS AND APPLY JUDICIAL ESTOPPEL
The Court has established in this matter that parties are bound by their sworn factual positions and may not later advance contradictory ones (Order, Post #51; reaffirmed Post #66)...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
ANSWER TO COMPLAINT
Ameslap
(Plaintiff)
v.
The Commonwealth of Redmont
(Defendant)
I. ANSWER TO COMPLAINT
The Commonwealth:
1. Neither Affirms nor Denies, NOTING that the Plaintiff has not provided any evidence to support the claim that...
@ko531
Your Honour, I apologise for the ping, but we still haven't arrived at a conclusion whether the deadline for Answer to Complaint has been tolled or not due to the Motion to Dismiss. The CW seeks your earliest reply.
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO DISMISS
In a simple overview of the complaint, it can be said that the Plaintiff lacks standing to pursue this matter.
I. Rule 2.1 and How It's Applied
I.I What Rule 2.1 Says
Rule 2.1 of Court Rules and Procedures states that...
Your Honour, regarding the matter of the Defendants non-compliance with the MTC, I ask leave of the Court to file a brief regarding contact that was established between me, in my capacity as a PD who was assigned to the case, and the Defendant.
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