Difference between revisions of "Griever/Plaintiff's First Fact Requests to Lynne"
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{{SvsG Legal Documents|Plaintiffs' First Fact Requests to Lynne}} | {{SvsG Legal Documents|Plaintiffs' First Fact Requests to Lynne}} | ||
=Notes= | ==Notes== | ||
*'''Formal title:''' Plaintiffs' Request for Admission of Facts to Defendant Norma Lynne Griever | *'''Formal title:''' Plaintiffs' Request for Admission of Facts to Defendant Norma Lynne Griever | ||
*'''Date submitted:''' 2005-01-25 | |||
*Lynne's answers are in [[S vs G: Lynne's Answers to Admission Request| Lynne's Answers to Admission Request]], and I have retroactively included them below <span class=hilite>with highlighting</span> for ease of reference. | *Lynne's answers are in [[S vs G: Lynne's Answers to Admission Request| Lynne's Answers to Admission Request]], and I have retroactively included them below <span class=hilite>with highlighting</span> for ease of reference. | ||
==Text== | |||
=Text= | NOW COME PLAINTIFFS NICK STADDON and COX-STADDON ENTERPRISES, INC. d/b/a RED HOUSE MEDIA and d/b/a vbz.net ("Plaintiffs") and request pursuant to O.C.G.A. {{OCGA code|9-11-36}}(a) that DEFENDANT NORMA LYNNE GRIEVER ("Defendant") admit the matters set forth below, or deny same in writing, within forty-five (45) days from the date of service hereof. | ||
NOW COME PLAINTIFFS NICK STADDON and COX-STADDON ENTERPRISES, INC. d/b/a RED HOUSE MEDIA and d/b/a vbz.net ("Plaintiffs") and request pursuant to O.C.G.A. | |||
Defendant is required to admit that: | Defendant is required to admit that: |
Revision as of 22:14, 4 October 2005
Staddon vs. Griever: Legal Documents: Plaintiffs' First Fact Requests to Lynne
Notes
- Formal title: Plaintiffs' Request for Admission of Facts to Defendant Norma Lynne Griever
- Date submitted: 2005-01-25
- Lynne's answers are in Lynne's Answers to Admission Request, and I have retroactively included them below with highlighting for ease of reference.
Text
NOW COME PLAINTIFFS NICK STADDON and COX-STADDON ENTERPRISES, INC. d/b/a RED HOUSE MEDIA and d/b/a vbz.net ("Plaintiffs") and request pursuant to O.C.G.A. Template:OCGA code(a) that DEFENDANT NORMA LYNNE GRIEVER ("Defendant") admit the matters set forth below, or deny same in writing, within forty-five (45) days from the date of service hereof.
Defendant is required to admit that:
- Norma Lynne Griever rented Plaintiff Nick Staddon's 1982 Mercedes Benz ("Benz")
- Defendant denies the allegations contained in Paragraph 1.
- Norma Lynne Griever rented the 1982 Mercedes Benz belonging to Plaintiff Nick Staddon on a week-to-week basis.
- Defendant denies the allegations contained in Paragraph 2.
- Norma Lynne Griever began renting the 1982 Mercedes Benz belonging to Plaintiff Nick Staddon on October 27, 2001.
- Defendant denies the allegations contained in Paragraph 3.
- Norma Lynne Griever had possession of the 1982 Mercedes Benz belonging to Plaintiff Nick Staddon until January 9, 2004.
- Defendant denies the allegations contained in Paragraph 4.
- Norma Lynne Griever agreed to pay $100.00 per week for rental of the 1982 Mercedes Benz belonging to Plaintiff Nick Staddon.
- Defendant denies the allegations contained in Paragraph 5.
This 25 day of January, 2005.