MOTION TO STRIKE
Your honour,
This statement speaks of potentially personal interactions unknown to the Plaintiff, from an irrelevant case, and is frankly being rude to this Court and our patience. The Plaintiff moves this be stricken and the Defendant given a second chance to provide an...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
ANSWER TO COUNTERCLAIM
Commonwealth of Redmont
Counterplaintiff
v.
smokeyybunnyyy
Counterdefendant
ANSWER TO COUNTERCLAIM
1. The Counterdefendant does not dispute the first fact, as in evidence provided it is not visible for how long the...
OBJECTION
Compound question
This question claims the offer was fair, and whether it was denied by the Plaintiff. It mustn't be phrased like so - The Plaintiff asks it be broken down or retracted, so that the Plaintiff may clearly respond to each one individually.
OBJECTION
Perjury
Your honour,
The Defendant perjured himself by claiming this. He, on 15th July, posted the entire conversation to the #legal channel to try and make a mockery of the Plaintiff's and Plaintiff's counsel conduct in the affair. The Defendant knows very well he posted those...
Your honour,
while it is true that Discord links were left in the Complaint, it is not fair coupling my inability to reinstate the evidence currently with a previous error. Within the timeframe I asked of you, the evidence will be reinstated and links substituted. The Defendant was already...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO RECONSIDER
Your honour, my client isn't on trial for rejecting the Commonwealth's offer to end the case prematurely and walk away failing to adequately recompense the Plaintiff. I call on the Defendant to show the Court the entire...
Your honour, I apologise about the evidence; why it is no longer rendering as it should be is above me. I request an extension of additional 24 hours to the Discovery, as I will be unable to reinstate the evidence today.
OBJECTION
Relevance
Your honour,
this evidence is in regard to the Defendant trying to bargain out of Court for the Plaintiff to drop legal charges. After a short discussion, the Plaintiff denied this attempt. I do not see how this evidence has anything to do with my client's bids, or the fault...
OBJECTION
Assumes facts not in evidence
The Plaintiff is not hostile to the aforementioned witness, nor is it supported by evidence. Superior only acted as the representative of the Government; the Plaintiff is not hostile to the Witness, and the communication between the Plaintiff and Superior...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
ANSWER TO MOTION TO DISMISS
Your honour,
As already delved into in my opening statement, it is clear that the precedent provided and pressed by the Defendant is not a strong argument to dismiss this case, nor does it hold the weight to be...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
ANSWER TO MOTION TO DISMISS
Your honour,
in compelling the Court not to dismiss this lawsuit, the Plaintiff will answer the Defendant’s concerns:
I. To support the Plaintiff’s claim, and show that there is a Claim for which my client is...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO AMEND FILING
Your honour,
The Plaintiff requests to add the following point to the IV. Payer for Relief of the original Complaint:
"2. Legal fees of the Plaintiff, standing at 20% of the monetary value of the case, which amounts to...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO AMEND
Your honour,
I mistakenly misplaced the name of the Federal Court into my Opening Statement.
I move to have it stricken and replaced with the name of the District Court.
Thank you.
DATED: This 11th day of July, 2024
IN THE FEDERAL DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
OPENING STATEMENT
Your honour,
This case is nothing but serving justice, justice that the Plaintiff is justly entitled to. I will now analyse separate and significant parts of this lawsuit, as it seems the Defendant fails to...
Your honour,
I wish to notify you that Solid Law Firm has been hired as the primary counsel for the Plaintiff.
Request of the former counsel to call EddieGonza420 to the stand remains unchanged.
Proof of consent to represent:
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