> Every member is a managing member. Decisions for managing the Company shall be made
with a unanimous vote of the members. Daily operations decisions may be decided by
either member alone.
Sounds like member managed.
IN THE CHANCERY OF ALEXANDRIA
ENTREATY FOR PRIOR PONDERANCE
Honorable Chancellors, I humbly request prior ponderance and a ruling regarding the following unsettled matter of law:
I. INTERPRETATION OF AMBIGUOUS TEMPORAL REFERENCES
When a temporal marker, such as 'the day begun,' or other...
Esteemed Officials of the Ministry of Trade and Finance,
Pursuant to Act of Parliament P.B.-00-019 | Legal Entity Act, the undersigned Formator(s) hereby submit for verification and filing the following Certificate of Formation for the establishment of a new Limited Liability Company to be...
PLAINTIFF'S CLOSING STATEMENT ON DAMAGES
May it please the Court.
Your Honor, I wish to briefly apologize for any delays, as my real-life academic exams have demanded significant time.
Your Honor, we have reached the final stage of this case, a stage focused solely on determining the...
PLAINTIFF'S OPENING STATEMENT ON DAMAGES
May it please the Court.
Your Honor, we stand before you today not to debate whether the Crown was negligent – this Court has already issued a clear and definitive ruling on that matter. In its Writ of Summary Judgment, this Court found that the Crown...
SECOND ENTREATY OF PROMPTING
Plaintiff, Nimq_, hereby submits this Second Entreaty of Prompting to respectfully request that the Honorable Magistrate issue a ruling on the Plaintiff's pending "Entreaty of Summary Judgment" (filed April 25, 2025, filing #24).
ARGUMENT
PENDING MOTION: The...
DEFENDANT'S ANSWER, PLEA, AND NOTICE OF SETTLEMENT
I. PLEA
The Defendant, the Alexandria Foundation Party, formally pleads Guilty to the charge levied against it, namely the violation of statute 6(3) of Act of Parliament A.P.006 (Party Corporation Act).
II. RESPONSE TO FACTS ALLEGED IN...
ENTREATY OF PROMPTING
Plaintiff, Nimq_, hereby submits this Entreaty of Prompting to respectfully request that the Court issue a ruling on the Plaintiff's "Entreaty of Summary Judgement" (filed April 25, 2025).
ARGUMENT
1. PENDING RULING: The Plaintiff's "Entreaty of Summary Judgement" has...
PLAINTIFF'S RESPONSE TO DEFENDANT'S ENTREATY TO POSTPONE
Plaintiff, Nimq_, hereby responds to the Defendant's Entreaty to Postpone (filing #25) regarding the deadline for responding to the Plaintiff's Entreaty of Summary Judgment (filing #24).
The Plaintiff acknowledges receipt of the...
ENTREATY OF SUMMARY JUDGMENT
Plaintiff, Nimq_, respectfully moves this Honorable Court for Summary Judgment against the Defendant, the Crown, pursuant to the General Court Rules and Procedures. This motion is based on the grounds that there is no genuine dispute as to any material fact...
ENTREATY OF PROMPTING
Plaintiff, Nimq_, hereby submits this Entreaty of Prompting to respectfully request that the Court issue a ruling on the Plaintiff's "Entreaty for Clarification of Court Rules Regarding Entreaty Amendments" (filed April 20, 2025).
ARGUMENT
1. PENDING RULING: The...
ENTREATY FOR CLARIFICATION
OF COURT RULES REGARDING ENTREATY AMENDMENTS
To the Honorable Magistrate,
Plaintiff, Nimq_, hereby submits this Entreaty for Clarification of Court Rules regarding the amendment of Entreaties. This Entreaty arises from the Defendant's recent actions in this case...
PLAINTIFF'S RESPONSE TO DEFENDANT'S ENTREATY TO DISMISS
Plaintiff, Nimq_, hereby responds to the Defendant's Entreaty to Dismiss (#16) and respectfully requests that the Court deny the Entreaty.
I. THE NATURE OF THE CLAIM REMAINS A CIVIL ACTION WITHIN THE MAGISTRATES COURT'S JURISDICTION
1...
ENTREATY TO COMPEL: COMMUNICATIONS REGARDING THE CLIFF EDGE
Plaintiff, Nimq_, hereby requests that the Court compel the Defendant, the Crown, to produce the following documents within 24 hours:
1. All internal communications relating to the existence of the cliff edge on the Unnamed Big Road...
ENTREATY TO COMPEL: MAINTENANCE RECORDS FOR THE UNNAMED BIG ROAD
Plaintiff, Nimq_, hereby requests that the Court compel the Defendant, the Crown, to produce the following documents within 24 hours:
1. All maintenance records relating to the Unnamed Big Road surrounding the city of...
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