Your Honour, considering the Co-Defendant responded to the motion right before Discovery ended, and in light of the recent ruling on the Perjury objection, we request that Your Honour exercise Rule 1.2 and permit the Plaintiff to add MrCheesGuy to the witness list.
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - PERJURY
Your Honour, this response is blatantly false and misleading.
The Co-Defendant's Head of Legal Department, Dearev, without being prompted about it, willingly shared that the Co-Defendant had a policy regarding the sharing...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
RESPONSE TO MOTION TO DISMISS
The Prosecution respectfully asks the Court to deny the Defendant’s Motion to Dismiss.
1. On Count One, the Defendant argues that political advocacy, voting conduct, or a contractual promise not to support...
Your Honour, with Discovery ending in almost 48 hours, the Plaintiff would like gently remind the Court of the Motion to Compel in #81 as Your Honour hasn't indicated any ruling.
- Username: TheSnowGuardian
- What are your strengths and weaknesses?:
Strengths:
1. Activity -> Currently I do have a summer break, which means I am not significantly held up by real life academic work.
2. Supervising Work -> I've done a lot of supervising work in my time as an employee of...
Username: TheSnowGuardian
I am representing a client
Who is your Client?: Talion & Partners INC., Noadenmark
What Case are you Appealing?: [2026] DCR 37
Link to the Original Case: Lawsuit: Adjourned - Noadenmark v. Zombie_Bro_ [2026] DCR 37
Basis for Appeal: The Court did not...
INTERROGATORIES TO THE CO-DEFENDANT
@Johnes
1. Are the contents of applications publicly disclosed without consent of the concerned applicant even if the application was accepted?
Your Honour @Franciscus ,
Due to the untimely responses of the Defence and the Co-Defence to the Interrogatories, the Plaintiff has been unable to ask further interrogatories. I plead the Court to acknowledge the other parties of the case sent their responses at 2:47 AM IST Yesterday and the 72...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
RESPONSE TO INTERROGATORY QUESTION IN #91
[FILED ON BEHALF OF PLAINTIFF]
The Plaintiff submits P-006 as the response to this question.
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - BREACH OF PROCEDURE IN #90 [FILED ON BEHALF OF THE PLAINTIFF]
Your Honour,
The Plaintiff objects to this informal response made by the Defence:
The Court, at the beginning of discovery in #62, stated that, "[e]very motion, brief...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - BREACH OF PROCEDURE
Your Honour,
According to 4.8 of Court Rules and Procedures, "Answers to Interrogatories must be made within 48 hours of being asked." The Defendants are late on their answers by 18 minutes.
The Plaintiff...
Your Honour, I would like to bring to the Court's attention that the Plaintiff wishes to ask further interrogatories on the basis of the contents Motion to Compel.
Additionally, to correct the record,
is partially incoherent, and to correct it, "sent him a message link .. " is meant to be...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO COMPEL [FILED ON BEHALF OF THE PLAINTIFF]
Noting the Co-Defendant's Head of Legal Department in the ticket (P-005) with TheSnowGuardian said "that is something from the bot not dependent on us now we have a policy not to share those...
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