Pursuant to Rule 3.3 (Amendment to Complaint), the Plaintiff amends the Prayer for Relief section of the Complaint as follows:
IV. PRAYER FOR RELIEF
The Plaintiff seeks the following from the Defendant:
1. Punitive damages in the amount of $50,000 per named Plaintiff (6 plaintiffs x $50,000 =...
Your Honour,
I will be unable to provide an answer in the time required. I humbly request a 24-hour extension so I can finish writing a response to your questions.
A
BILL
To
Establish Standards for Conflicts of Interest in Government and Judicial Appointments.
The people of the Commonwealth of Redmont, through their elected Representatives in the Congress and the force of law ordained to that Congress by the people through the constitution, do hereby...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO RECONSIDER
Your Honour,
The Plaintiff respectfully moves this Court to reconsider its denial of our perjury objection based on a fundamental error of law.
GROUNDS:
1. The Court denied our objection stating "Only the DoJ can charge...
A
BILL
To
To Protect the State from Foreign Interference
The people of the Commonwealth of Redmont, through their elected Representatives in the Congress and the force of law ordained to that Congress by the people through the constitution, do hereby enact the following provisions into law:
1...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - PERJURY
Your Honour,
The Defendant states in their Answer to Complaint:
However, the Attorney General has previously stated openly and publicly: "why would you ever join GER rather than WPR besides for like star wars or being...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - BREACH OF PROCEDURE
Your Honour, the DCT Secretary continues to speak out of turn. We request that the court strike his comment from the record and hold him in contempt of court. This court previously stated, "[End cannot] continue...
A
BILL
To
Amend the Constitution
The people of the Commonwealth of Redmont, through their elected Representatives in the Congress and the force of law ordained to that Congress by the people through the constitution, do hereby enact the following provisions into law:
1 - Short Title and...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - BREACH OF PROCEDURE
Your Honor, using the Defendant's previous argument:
In Munkler v. Commonwealth of Redmont [2025] DCR 42, #3 the plaintiff's counsel argued that: "An amicus brief is a legal document submitted to a court by...
1. As established in Cope Holdings v Vanguard Market Access [2025] FCR 62, VMA was created using the /db command system and was owned in-game by Nexalin under the business "VMA" (P-013). This demonstrates direct personal ownership and operation by Nexalin as an individual.
2. Under Business...
Pursuant to Rule 3.3 (Amendment to Complaint), the Plaintiff amends the Complaint as follows:
Privacy Matters Collective (Class Action Group Represented by Mezimori)
Plaintiff
v.
Vanguard Securities LLC
Nexalin
Defendant
This amendment is made to reflect the fact that "Vanguard Securities...
A
BILL
To
Facilitate the Creation of a State-Owned Withdrawal Facility and Ease the Economy After the Financial Collapse
The people of the Commonwealth of Redmont, through their elected Representatives in the Congress and the force of law ordained to that Congress by the people through the...
A
BILL
To
Establish Standards for Conflicts of Interest in Government and Judicial Appointments.
The people of the Commonwealth of Redmont, through their elected Representatives in the Congress and the force of law ordained to that Congress by the people through the constitution, do hereby...
For recording reasons, the vote tally was 11-0-0 (House) and 4-0-1 (Senate) before the revote.
Revote records: HOR: 5-2-0 ; Senate: 4-0-0
A
BILL
To
Amend the Text Me Back Act
The people of the Commonwealth of Redmont, through their elected Representatives in the Congress and the force of law...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO NOLLE PROSEQUI
The Plaintiff wishes to drop this lawsuit after reaching an out-of-court agreement with the Defendant.
TO MOTION TO DISMISS
Your Honour, the Plaintiff respectfully requests that Defendant's Motion to Dismiss be DENIED.
GROUNDS:
1. Contrary to Defendant's false assertion that "Plaintiff has not opposed any of these six requests, nor did Plaintiff respond to any of these six requests," Plaintiff...
OBJECTION - NON-RESPONSIVE
Your Honour, the Plaintiff specifically requested "Any CABINET classified discussions about Plaintiff's termination and any other classified or confidential communications about firing Plaintiff.". This response fails to answer the discovery request.
Pursuant to Rule...
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