In compliance with the discovery request, the Prosecution would like to submit the following pieces of evidence:
The prosecution does not wish to engage in any further discovery. If Defendant wishes to engage in any follow-up based on the results of their discovery request, the Prosecution...
Your Honor, I will be representing the prosecution in this case from here on out.
I would like to start by letting you know that the Prosecution is open to and interested in an in-game trial. The Prosecution is aware that it is slightly past the deadline set by the court for giving this...
Defendant hereby requests an extension of discovery for the following reasons:
- The matters discussed in the previous filing are still pending, and discovery is set to end in about 5 minutes.
- The Defendant needs some extra time to properly comply with the Discovery Request to which they...
Response to Plaintiff's Request for Discovery:
1. All documents and communications relating to the transfer of s024 into and out of government ownership.
2. All documents and communications relating to the transfer of r050 into and out of government ownership.
3. All documents and communications...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
ANSWER TO COMPLAINT
jsrkiwi
Plaintiff
v.
Department of Construction & Transportation
Defendant
I. ANSWER TO COMPLAINT
1. The Defendant DENIES that the Property Standards Act grants the DCT power and duty to enforce construction standards...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
OBJECTION - BREACH OF PROCEDURE x 2
Your Honor, our Courts guides to Motions defines a Motion to Compel as: "A request for the court to order a party to produce requested documents or information, or to sanction them for failing to comply with...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
OBJECTIONS - PERJURY, PERJURY
1. PERJURY 1
Your Honor, Defendant has stated in this response that: "Discovery can be used to require production of existing documents, but cannot compel the creation of new documents."
This is something the...
Pursuant to Rule 4.7, the Plaintiff requests the Defendant to produce the following materials relevant to the case:
1. A document outlining for all payments made to the Plaintiff by the Defendant with the purpose of paying out either the face value for, or the interest on, any blocks of...
The Plaintiff hereby respectfully requests to amend their Complaint as follows (where struck through text is to be removed and bolded text is to be added) to clarify something that could be interpreted in multiple ways:
II. FACTS
3. No further announcements regarding the bond have been made...
Pursuant to Rule 4.7, the Plaintiff requests the Defendant to produce the following materials relevant to the case:
1. A document outlining the exact dates, if such has happened, on which The Exchange Inc has been commandeered, seized, and/or owned by the Department of Commerce, as well as the...
Your Honor, having read the Defendant's response the Plaintiff concurs that there was a misunderstanding with regards to the effort required. As the Defendant has now filed their Answer, the Plaintiff would like to retract their motion to reconsider so that this case can move into Discovery.
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO RECONSIDER
Your Honor, the Defendant is being entirely unreasonable in their request for am extensions and appears to simply be trying to stall this case. It is important to note that the Defendant in this case is being represented...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
On who holds possession of The Exchange Inc.
Upon request by the Court the Plaintiff will hereby give their view on who currently appears to hold possession of The Exchange Inc. Note that this brief is based on the knowledge and information...
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