IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - HEARSAY
An out-of-court statement from the Plaintiff that is not an admissible piece of evidence. See our previous objection for further reasoning.
We request that this image / evidence is struck from the court record.
Pursuant to the Motions Guide we request to withdraw the previous Motion to Dismiss in order to amend it and resubmit it as follows:
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO DISMISS
The Defendant moves for the Court to dismiss the case due to failure on behalf of...
ADDED IN POST: Motion was withdrawn by this filing
Pursuant to the Motions Guide we request to withdraw the previous Motion to Dismiss in order to amend it and resubmit it. This is necessary due to new conduct by the Plaintiff justifying amendment.
IN THE DISTRICT COURT OF THE COMMONWEALTH OF...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - BREACH OF PROCEDURE, PERJURY
The Request for Discovery, for which the Motion to Compel was granted, was as follows:
The Discord client offers search functionality which allows both searching for author and date. D-003 shows a set...
ADDED IN POST: Motion was withdrawn by this filing
Pursuant to the Motions Guide we request to withdraw the previous Motion to Dismiss in order to amend it and resubmit it as the following:
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO DISMISS
The Defendant moves for the...
ADDED IN POST: Motion was withdrawn by this filing
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO DISMISS
The Defendant moves for the Court to dismiss the case due to failure on behalf of Plaintiff to comply with discovery requests.
1. Rule 5.13 - Failure to provide...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - BREACH OF PROCEDURE
The Court compelled Plaintiff to produce the documents described in our request more than 24 hours ago. Since the Plaintiff has posted in this thread (see post 38), it should be clear that they have, in fact...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - HEARSAY
Since the Plaintiff has had to rename their evidence, there is some confusion on the Defendant's side as to what exactly was struck. We therefore would like to make clear that our objection was to what is now marked as...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO COMPEL
Pursuant to Rule 4.7 the Defense moves for the Court to compel Plaintiff to produce the following documents:
- All Messages in the DOH discord pertaining to the Plaintiff's training as a doctor.
This information is relevant...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO COMPEL
The Defense moves for the Court to compel the Plaintiff to produce the described documents. It has been over 28 hours since our request and there has been no response.
In addition we request to extend discovery by 72 hours...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
REQUEST FOR DISCOVERY
Pursuant to Rule 4.7 of the Court Rules and Procedures, the Defense requests that the Plaintiff produce the following documents:
All Discord Messages sent by RobotAlan in the Department of Health Discord between...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - HEARSAY
Image two of P-001; images one and two of P-002; images two, three and four of P-005 all show unsworn, out-of-court statements used as evidence of the stated facts. This is clearly hearsay, since none of these people are...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO DISMISS
The Defence moves that the complaint in this case be dismissed, and in support thereof, respectfully alleges:
1. Reason 1 - Rule 5.5 Lack of Claim
The Defendant has shown, that assuming all alleged facts to be true, the...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - BREACH OF PROCEDURE
The Plaintiff has amended their complaint without giving any notice to the presiding judge, and therefore the Defendant, as required by Rule 3.3. Specifically the Complaint used to read:
"
RobotAlan (Represented...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - PERJURY
The Plaintiff claimed in Fact 7 that they suffered financial loss and explicitly specified the amount in Prayer 4 as $15,000. The Defendant has shown such losses to be impossible in § 2.1 of their Answer. This statement is...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
ANSWER TO COMPLAINT
RobotAlan (Represented in this Action by lnvlsbie).
Plaintiff
v.
Icarus Waxon, represented by Theory, Talion & Partners.
Defendant
I. ANSWER TO COMPLAINT
Defendant's response to the facts claimed is as follows:
1...
I humbly request for the honorable court to grant a 48 hour extension to the deadline for the Answer. It is required due to IRL circumstances.
I apologize for the inconvenience to all affected parties.
Icarus Waxon's legal counsel is present your honor, answer to complaint will be filed shortly. Attached you will find proof of legal representation.
NullaPoene,
Attorney at TT&P.
Proof of Representation:
This Bill is all sorts of wrong. Part IV § 9 (1) removes non-existent text from the Taxation Act (property tax is already changed.). Part IV § 10 (1) removes non-existent text from the Commercial Standards Act. Part IV § 10 (2) amends the definitions section of the Commercial Standards Act with...
In accordance with the Constitution § 51 (3), any bill amending the constitution must start with "A bill to Amend the Constitution." This bill starts with "An Act to Amend the Constitution." The bill is therefore ineffective at amending the Constitution.
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