Mock answer and counterclaim of Ms. Geiger who allegedly rear-ended the plaintiff on I-540 by following too closely but alleges that the collision was the result of the plaintiff's proximate negligence.
Answer, Counterclaims & Third Party Claims - Non-Compete & Tortious InterferencePollard PLLC
This is one of our cases in Volusia County, Florida. Our clients - all of the defendants in the case - were sued for breach of a non-compete agreement, breach of fiduciary duty and tortious interference.
We responded with counterclaims for a declaratory judgment holding the non-compete agreement(s) unenforceable, third party claims for breach of fiduciary duty and breach of contract and a demand for indemnification.
This is a good example of our level of work. We have extensive experience litigating non-compete and tortious interference cases on both sides. We prosecute and defend these types of cases.
In every case, we have a process: First, we master the facts. Many lawyer and law firms get involved in a case and immediately focus on law. In our view, that is the wrong approach. All cases are driven by facts. Any legal strategy must be tailored to the specific facts of a specific case.
We do not take anything for granted. We do not default to the same tired boilerplate pleadings. In every new case, we fashion a specific strategy for that case.
If you have a non-compete or tortious interference case, just give us a call at 9543-32-2380. That's what we're here for.
Sample California motion for change of venue LegalDocsPro
This sample motion for change of venue for California is used when a defendant wants the Court to transfer the venue to their county of residence. The sample contains a memorandum of points and authorities with citations to case law and statutory authority. This is a preview of the sample motion sold by LegalDocsPro.
Sample California motion to compel further responses to special interrogatoriesLegalDocsPro
This sample California motion to compel further responses to special interrogatories is made pursuant to Code of Civil Procedure Section 2030.300 and is used when a party has served special interrogatories but the responses received are evasive or incomplete, or the objections are without merit or are too general. The sample could easily be modified to apply to form interrogatories as well. The sample on which this preview is based is 30 pages and includes a memorandum of points and authorities with citations to case law and statutory authority, a separate statement as required by Rule of Court 3.1345, a sample declaration and a proof of service by mail.
Sample meet and confer declaration for motion for judgment on the pleadings i...LegalDocsPro
This sample meet and confer declaration for a motion for judgment on the pleadings in California is filed pursuant to the new meet and confer requirement found in Code of Civil Procedure section 439(a). This declaration can be used to demonstrate compliance with the new meet and confer requirement before filing a motion for judgment on the pleadings in California that just became effective on January 1, 2018. The sample is 5 pages and includes brief instructions, sample wording and a proof of service by mail. The author is an entrepreneur and retired litigation paralegal that worked in California and Federal litigation from January 1995 through September 2017 and has created over 300 sample legal documents for sale. Note that the author is NOT an attorney and no guarantee or warranty is provided.
Opposition to a California summary judgment motionLegalDocsPro
This sample opposition to a motion for summary judgment in California was created by a freelance paralegal who has worked in California and Federal litigation since 1995 and has used this sample for many years.
Answer, Counterclaims & Third Party Claims - Non-Compete & Tortious InterferencePollard PLLC
This is one of our cases in Volusia County, Florida. Our clients - all of the defendants in the case - were sued for breach of a non-compete agreement, breach of fiduciary duty and tortious interference.
We responded with counterclaims for a declaratory judgment holding the non-compete agreement(s) unenforceable, third party claims for breach of fiduciary duty and breach of contract and a demand for indemnification.
This is a good example of our level of work. We have extensive experience litigating non-compete and tortious interference cases on both sides. We prosecute and defend these types of cases.
In every case, we have a process: First, we master the facts. Many lawyer and law firms get involved in a case and immediately focus on law. In our view, that is the wrong approach. All cases are driven by facts. Any legal strategy must be tailored to the specific facts of a specific case.
We do not take anything for granted. We do not default to the same tired boilerplate pleadings. In every new case, we fashion a specific strategy for that case.
If you have a non-compete or tortious interference case, just give us a call at 9543-32-2380. That's what we're here for.
Sample California motion for change of venue LegalDocsPro
This sample motion for change of venue for California is used when a defendant wants the Court to transfer the venue to their county of residence. The sample contains a memorandum of points and authorities with citations to case law and statutory authority. This is a preview of the sample motion sold by LegalDocsPro.
Sample California motion to compel further responses to special interrogatoriesLegalDocsPro
This sample California motion to compel further responses to special interrogatories is made pursuant to Code of Civil Procedure Section 2030.300 and is used when a party has served special interrogatories but the responses received are evasive or incomplete, or the objections are without merit or are too general. The sample could easily be modified to apply to form interrogatories as well. The sample on which this preview is based is 30 pages and includes a memorandum of points and authorities with citations to case law and statutory authority, a separate statement as required by Rule of Court 3.1345, a sample declaration and a proof of service by mail.
Sample meet and confer declaration for motion for judgment on the pleadings i...LegalDocsPro
This sample meet and confer declaration for a motion for judgment on the pleadings in California is filed pursuant to the new meet and confer requirement found in Code of Civil Procedure section 439(a). This declaration can be used to demonstrate compliance with the new meet and confer requirement before filing a motion for judgment on the pleadings in California that just became effective on January 1, 2018. The sample is 5 pages and includes brief instructions, sample wording and a proof of service by mail. The author is an entrepreneur and retired litigation paralegal that worked in California and Federal litigation from January 1995 through September 2017 and has created over 300 sample legal documents for sale. Note that the author is NOT an attorney and no guarantee or warranty is provided.
Opposition to a California summary judgment motionLegalDocsPro
This sample opposition to a motion for summary judgment in California was created by a freelance paralegal who has worked in California and Federal litigation since 1995 and has used this sample for many years.
Sample motion to vacate judgment for fraud on the court under rule 60(d)(3)LegalDocsPro
This sample motion to vacate a judgment for fraud on the Court is made pursuant to Rule 60(d)(3) of the Federal Rules of Civil Procedure on the grounds that a judgment was obtained through fraud on the Court, The sample can be used in any Distsrict Court within the jurisdiction of the Ninth Circuit Court of Appeals. The sample on which this preview is based is 9 pages and includes brief instructions, a memorandum of points and authorities with citations to case law and statutory authority, a sample declaration and proof of service by mail. The author is an entrepreneur and freelance paralegal who has worked in California and Federal litigation since 1995.
Sample motion to vacate California divorce judgment for fraud and perjuryLegalDocsPro
This sample motion to vacate a dissolution (divorce) judgment in California on the grounds of fraud and perjury is filed pursuant to the provisions of California Family Code sections 2122(a) and (b). This sample can also be used to vacate a legal separation or nullity judgment in California as well. The sample on which this preview is based is 10 pages and includes brief instructions, a memorandum of points and authorities with citations to case law and statutory authority and a sample declaration.
This sample declaration for California can be modified for use in any case in California. The author is a freelance paralegal who has worked in California and Federal litigation since 1995 and has used this sample for many years.
Sample California motion to strike complaintLegalDocsPro
This sample motion to strike portions of a complaint for California was created by a freelance paralegal who has worked in California and Federal litigation since 1995 and has used this sample for many years.
Sample special interrogatories for CaliforniaLegalDocsPro
These sample special interrogatories for California is for a California civil case and is intended to be used by a defendant but can be modified for use by a plaintiff. The sample document on which this preview is based is very detailed and is 33 pages long including the declaration for additional discovery and proof of service by mail.
Sample motion to strike alter ego allegations in californiaLegalDocsPro
This sample motion to strike alter ego allegations in a California complaint is designed to be used by a defendant to request that the court strike the alter ego allegations in a complaint or cross-complaint on the grounds that the alter ego allegations which appear through the complaint are factually devoid and in fact are merely generic boilerplate allegations which are insufficient to support an alter ego claim, and the entire complaint be stricken as it is a sham complaint that was only filed to only filed to exert pressure on the defendant by attempting to impose personal liability on them to extract a settlement, or in the alternative an order striking the other specified portions of the complaint including on the grounds that the plaintiff has failed to allege sufficient facts to entitle them to an award of punitive and exemplary damages and the complaint requests attorney’s fees even though the allegations of the complaint do not support an award of attorney’s fees. The sample motion on which this preview is based is 16 pages and includes brief instructions, a memorandum of points and authorities with citations to case law and statutory authority and a proof of service by mail. The author is an entrepreneur and freelance paralegal that has worked in California and Federal litigation since 1995 and has created over 300 sample legal documents for sale. Note that the author is NOT an attorney and no guarantee or warranty is provided.
Sample opposition to demurrer for californiaLegalDocsPro
This sample opposition to demurrer for California was created by a freelance paralegal who has worked in California and Federal litigation since 1995 and has used this sample for many years.
Sample opposition to motion to dismiss under rule 12(b)(6)LegalDocsPro
This sample opposition to a motion to dismiss under Rule 12(b)(6) of the Federal Rules of Civil Procedure was used in an adversary proceeding but can be modified and used in any civil litigation in a Bankruptcy or District Court in ANY state within te jurisdiction of the Ninth Circuit Court of Appeals. This is a preview of the sample document sold on scribd.com by LegalDocsPro. The sample is 10 pages long and includes brief instructions, a memorandum of points and authorities with citations to case law and statutory authority and a proof of service by mail.
Motion to dismiss under rule 12(b)(5) for insufficient service of processLegalDocsPro
Motion to dismiss a complaint for insufficient service of process under Rule 12(b)(5) of the Federal Rules of Civil Procedure is the topic of this document. Rule 12(b)(5) allows a defendant to move for dismissal due to insufficient service of process in civil litigation in United States District Court.
Sample california complaint for real estate fraud against seller, broker and ...LegalDocsPro
This sample California complaint for real estate fraud contains causes of action for breach of contract, failure to disclose in a Real Estate Transfer Disclosure Statement and fraud by concealment. The sample names the seller, broker and agent as defendants and includes brief instructions.
Sample meet and confer declaration for motion to strike in California LegalDocsPro
This sample meet and confer declaration for a motion to strike in California is filed under Code of Civil Procedure § 435.5(a) to demonstrate compliance with the new meet and confer requirements before a motion to strike can be filed that became effective on January 1, 2018. The sample is 5 pages and includes brief instructions, sample wording and a proof of service by mail. The author is an entrepreneur and retired litigation paralegal that worked in California and Federal litigation from January 1995 through September 2017 and has created over 300 sample legal documents for sale. Note that the author is NOT an attorney and no guarantee or warranty is provided.
Sample trial brief for California civil caseLegalDocsPro
This sample trial brief for a California civil case is used by a party in a California litigation case. The sample can be modified and used in most California litigation cases, it also includes a memorandum of points and authorities with citiations to case law and statutory authority and a proof of service by mail. This is a preview of the sample sold by LegalDocsPro.
Sample motion to vacate California divorce judgment for fraudLegalDocsPro
This sample motion to vacate a dissolution (divorce) judgment in California on the grounds of duress is used pursuant to California Family Code section 2122(c). This sample can also be used to vacate a legal separation or nullity judgment in California as well. The sample on which this preview is based is 10 pages and includes brief instructions, a memorandum of points and authorities with citations to case law and statutory authority and a sample declaration.
Sample California complaint for breach of contract and common countsLegalDocsPro
This sample California complaint for breach of contract also includes causes of action for common counts including open book account, account stated and goods sold and delivered. The sample on which this preview is based is 6 pages and includes brief instructions. The sample document is sold on scribd.com by LegalDocsPro.
Sample motion for Family Code section 271 sanctions in CaliforniaLegalDocsPro
This sample motion for Family Code section 271 sanctions in California may be filed in any dissolution (divorce), legal separation or nullity action in California and is designed to be used in conjunction with a Request for Order Judicial Council Form FL-300. The motion is used to request an award of damages and sanctions under Family Code section 271 and 1100, et seq. on the grounds that the conduct of the other party and/or their attorney frustrated any expeditious settlement of the case and caused the moving party to have to incur additional costs and attorney’s fees as a result of the obstreperous conduct. The sample document on which this preview is based is 15 pages and includes brief instructions, a memorandum of points and authorities with citations to case law and statutory authority and sample declaration.
NVIDIA has countersued Samsung in the U.S. District Court in Virginia, citing four graphics patents beyond the seven cited in previous ITC and Delaware cases. The four patents are described in this latest filing.
Deterrent strategies in fraud litigation, September 2017, BirminghamBrowne Jacobson LLP
This seminar covered evidence, investigations and deterrent remedies. We focused on:
- an update on development of the use of s 57 CCJA 2015 and the effectiveness of pursuing fundamental dishonesty;
- unlocking evidence of fraud - forensic investigations around documents, mobile devices and computer data;
- costs sanctions against third parties;
- how to conduct an investigation in preparation for potential criminal action;
- evidential and legal considerations in bringing contempt proceedings.
Sample motion to vacate judgment for fraud on the court under rule 60(d)(3)LegalDocsPro
This sample motion to vacate a judgment for fraud on the Court is made pursuant to Rule 60(d)(3) of the Federal Rules of Civil Procedure on the grounds that a judgment was obtained through fraud on the Court, The sample can be used in any Distsrict Court within the jurisdiction of the Ninth Circuit Court of Appeals. The sample on which this preview is based is 9 pages and includes brief instructions, a memorandum of points and authorities with citations to case law and statutory authority, a sample declaration and proof of service by mail. The author is an entrepreneur and freelance paralegal who has worked in California and Federal litigation since 1995.
Sample motion to vacate California divorce judgment for fraud and perjuryLegalDocsPro
This sample motion to vacate a dissolution (divorce) judgment in California on the grounds of fraud and perjury is filed pursuant to the provisions of California Family Code sections 2122(a) and (b). This sample can also be used to vacate a legal separation or nullity judgment in California as well. The sample on which this preview is based is 10 pages and includes brief instructions, a memorandum of points and authorities with citations to case law and statutory authority and a sample declaration.
This sample declaration for California can be modified for use in any case in California. The author is a freelance paralegal who has worked in California and Federal litigation since 1995 and has used this sample for many years.
Sample California motion to strike complaintLegalDocsPro
This sample motion to strike portions of a complaint for California was created by a freelance paralegal who has worked in California and Federal litigation since 1995 and has used this sample for many years.
Sample special interrogatories for CaliforniaLegalDocsPro
These sample special interrogatories for California is for a California civil case and is intended to be used by a defendant but can be modified for use by a plaintiff. The sample document on which this preview is based is very detailed and is 33 pages long including the declaration for additional discovery and proof of service by mail.
Sample motion to strike alter ego allegations in californiaLegalDocsPro
This sample motion to strike alter ego allegations in a California complaint is designed to be used by a defendant to request that the court strike the alter ego allegations in a complaint or cross-complaint on the grounds that the alter ego allegations which appear through the complaint are factually devoid and in fact are merely generic boilerplate allegations which are insufficient to support an alter ego claim, and the entire complaint be stricken as it is a sham complaint that was only filed to only filed to exert pressure on the defendant by attempting to impose personal liability on them to extract a settlement, or in the alternative an order striking the other specified portions of the complaint including on the grounds that the plaintiff has failed to allege sufficient facts to entitle them to an award of punitive and exemplary damages and the complaint requests attorney’s fees even though the allegations of the complaint do not support an award of attorney’s fees. The sample motion on which this preview is based is 16 pages and includes brief instructions, a memorandum of points and authorities with citations to case law and statutory authority and a proof of service by mail. The author is an entrepreneur and freelance paralegal that has worked in California and Federal litigation since 1995 and has created over 300 sample legal documents for sale. Note that the author is NOT an attorney and no guarantee or warranty is provided.
Sample opposition to demurrer for californiaLegalDocsPro
This sample opposition to demurrer for California was created by a freelance paralegal who has worked in California and Federal litigation since 1995 and has used this sample for many years.
Sample opposition to motion to dismiss under rule 12(b)(6)LegalDocsPro
This sample opposition to a motion to dismiss under Rule 12(b)(6) of the Federal Rules of Civil Procedure was used in an adversary proceeding but can be modified and used in any civil litigation in a Bankruptcy or District Court in ANY state within te jurisdiction of the Ninth Circuit Court of Appeals. This is a preview of the sample document sold on scribd.com by LegalDocsPro. The sample is 10 pages long and includes brief instructions, a memorandum of points and authorities with citations to case law and statutory authority and a proof of service by mail.
Motion to dismiss under rule 12(b)(5) for insufficient service of processLegalDocsPro
Motion to dismiss a complaint for insufficient service of process under Rule 12(b)(5) of the Federal Rules of Civil Procedure is the topic of this document. Rule 12(b)(5) allows a defendant to move for dismissal due to insufficient service of process in civil litigation in United States District Court.
Sample california complaint for real estate fraud against seller, broker and ...LegalDocsPro
This sample California complaint for real estate fraud contains causes of action for breach of contract, failure to disclose in a Real Estate Transfer Disclosure Statement and fraud by concealment. The sample names the seller, broker and agent as defendants and includes brief instructions.
Sample meet and confer declaration for motion to strike in California LegalDocsPro
This sample meet and confer declaration for a motion to strike in California is filed under Code of Civil Procedure § 435.5(a) to demonstrate compliance with the new meet and confer requirements before a motion to strike can be filed that became effective on January 1, 2018. The sample is 5 pages and includes brief instructions, sample wording and a proof of service by mail. The author is an entrepreneur and retired litigation paralegal that worked in California and Federal litigation from January 1995 through September 2017 and has created over 300 sample legal documents for sale. Note that the author is NOT an attorney and no guarantee or warranty is provided.
Sample trial brief for California civil caseLegalDocsPro
This sample trial brief for a California civil case is used by a party in a California litigation case. The sample can be modified and used in most California litigation cases, it also includes a memorandum of points and authorities with citiations to case law and statutory authority and a proof of service by mail. This is a preview of the sample sold by LegalDocsPro.
Sample motion to vacate California divorce judgment for fraudLegalDocsPro
This sample motion to vacate a dissolution (divorce) judgment in California on the grounds of duress is used pursuant to California Family Code section 2122(c). This sample can also be used to vacate a legal separation or nullity judgment in California as well. The sample on which this preview is based is 10 pages and includes brief instructions, a memorandum of points and authorities with citations to case law and statutory authority and a sample declaration.
Sample California complaint for breach of contract and common countsLegalDocsPro
This sample California complaint for breach of contract also includes causes of action for common counts including open book account, account stated and goods sold and delivered. The sample on which this preview is based is 6 pages and includes brief instructions. The sample document is sold on scribd.com by LegalDocsPro.
Sample motion for Family Code section 271 sanctions in CaliforniaLegalDocsPro
This sample motion for Family Code section 271 sanctions in California may be filed in any dissolution (divorce), legal separation or nullity action in California and is designed to be used in conjunction with a Request for Order Judicial Council Form FL-300. The motion is used to request an award of damages and sanctions under Family Code section 271 and 1100, et seq. on the grounds that the conduct of the other party and/or their attorney frustrated any expeditious settlement of the case and caused the moving party to have to incur additional costs and attorney’s fees as a result of the obstreperous conduct. The sample document on which this preview is based is 15 pages and includes brief instructions, a memorandum of points and authorities with citations to case law and statutory authority and sample declaration.
NVIDIA has countersued Samsung in the U.S. District Court in Virginia, citing four graphics patents beyond the seven cited in previous ITC and Delaware cases. The four patents are described in this latest filing.
Deterrent strategies in fraud litigation, September 2017, BirminghamBrowne Jacobson LLP
This seminar covered evidence, investigations and deterrent remedies. We focused on:
- an update on development of the use of s 57 CCJA 2015 and the effectiveness of pursuing fundamental dishonesty;
- unlocking evidence of fraud - forensic investigations around documents, mobile devices and computer data;
- costs sanctions against third parties;
- how to conduct an investigation in preparation for potential criminal action;
- evidential and legal considerations in bringing contempt proceedings.
Deterrent strategies in fraud litigation, September 2017, LondonBrowne Jacobson LLP
This seminar covered evidence, investigations and deterrent remedies. We focused on:
- an update on development of the use of s 57 CCJA 2015 and the effectiveness of pursuing fundamental dishonesty;
- unlocking evidence of fraud - forensic investigations around documents, mobile devices and computer data;
- costs sanctions against third parties;
- how to conduct an investigation in preparation for potential criminal action;
- evidential and legal considerations in bringing contempt proceedings.
The plaintiff in this case runs a janitorial service that primarily cleans restaurants. They have sued a former employee, Altman, for breach of a non-compete agreement and theft of trade secrets.
To state the obvious: The identity and contact information of the Cheesecake Factory is not a trade secret. Knowing how to clean a restaurant is not a trade secret. Quoting a price for cleaning services is not a trade secret.
Pollard PLLC represents Altman and has countersued for the following:
1. Declaratory judgment holding the non-compete agreement unenforceable.
2. False advertising under the Lanham Act.
3. Defamation. The Plaintiff has gone to multiple customers and told them that Altman stole their trade secrets and even stole equipment. Altman maintains that these allegations are total fabrications.
4. Tortious interference.
5. Breach of contract for failure to pay certain commissions.
Altman, now the Defendant/Counter-Plaintiff is seeking at least $10 million in damages in addition to corrective advertising to clear her name.
FORECLOSURE Response to JP Morgan Chase Foreclosurelauren tratar
WAKE UP AMERICA! Banks are STEALING HOUSES they do not own nor did they pay a dime for! Mortgages were PRE-SOLD to Investors of Mortgage-Backed Securities. A bank CANNOT foreclose if it has NOTHING TO LOSE! The banks shifted the risk to the Investors and the banks took the PROMISSORY NOTES cashed them into the FRAUDULENT FEDERAL RESERVE, and then SOLD the exact same NOTES to MBS Trusts MULTIPLE TIMES!!!
FORECLOSURE Response to JP Morgan Chase Foreclosurelauren tratar
WAKE UP AMERICA! Banks are STEALING HOUSES they do not own nor did they pay a dime for! Mortgages were PRE-SOLD to Investors of Mortgage-Backed Securities. A bank CANNOT foreclose if it has NOTHING TO LOSE! The banks shifted the risk to the Investors and the banks took the PROMISSORY NOTES cashed them into the FRAUDULENT FEDERAL RESERVE, and then SOLD the exact same NOTES to MBS Trusts MULTIPLE TIMES!!!
Sample Bail Bond Related Criminal Law MotionsSamuel Partida
A list of common motions filed in a criminal case related to the bail bond are provided. Six sample motions are provided that a prosecutor may typically file. Seven sample motions are provided that a defense attorney may typically file over the span of a typical criminal case.
Sample ex parte application for TRO and preliminary injunction in United Stat...LegalDocsPro
This sample ex parte application for temporary restraining order in United States District Court also requests the issuance of a preliminary injunction pending the trial pursuant to Federal Rule of Civil Procedure 65(a) and (b) on the grounds that the plaintiff has suffered and will continue to suffer, substantial irreparable harm if injunctive relief is not granted. The sample on which this preview is based is 16 pages and includes brief instructions, a memorandum of points and authorities with citations to case law and statutory authority, sample declaration and proposed order. The author is an entrepreneur and retired litigation paralegal that worked in California and Federal litigation from January 1995 through September 2017 and has created over 300 sample legal documents for sale. Note that the author is NOT an attorney and no guarantee or warranty is provided.
Sample California complaint for fraud against unlicensed contractorLegalDocsPro
This sample California complaint against an unlicensed contractor contains causes of action for the return of all money paid to the unlicensed contractor, fraud and negligence. It also requests additional damages under CCP Section 1029.8 as well as exemplary and punitive damages. It can be modified for use in any California case where fraud is a cause of action. This is a preview of the sample complaint sold by LegalDocsPro.
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This is a page I made in the video I created for the law firm I was interning at to increase their exposure to the public and inform potential clients about the practice areas and location.
Deposition transcript of Mock answer and counterclaim of Ms. Geiger who allegedly rear-ended the plaintiff on I-540 by following too closely but alleges that the collision was the result of the plaintiff's proximate negligence.
A fictitious legal brief to remit the final judgment of bail forfeiture. Capt. Bryant issued a bond for the release of Rutger Batty who later failed to appear in court. Mr. Batty was in a Texas jail because of a prior illegal gun possession charge. Though Mr. Batty was not incarcerated in a North Carolina jail or a federal prison within the United States, Captain Bryant wants Weft and Wright, P.L.L.C. to try and get the forfeited bail money remitted.
A fictitious memo at Weft and Wright, P.L.L.C. that predicts the outcome of Capt. Bryant’s plan to have the police detain any captured bail jumper so that Capt. Bryant’s runners can assume custody and prevent loss of the bail bond money.
A fictitious letter to retired police officer Captain Bryant who wants to become a licensed bail bondsman in North Carolina and have two of his friends operate as his runners (bounty hunters).
Assignment based on the Michael Hernandez case. Whichever side we argued for in previous homework, now we had to argue for the other side to learn that a law firm the paralegal does not get to pick who should and should not be represented by the law firm.
Business Law Power Point Presentation about ultra vires and derivative action. Daggett Industries wanted to go into a new line of business but would some of the stockholders object?
Final Project Intro To Legal Systems becoming a paralegal in North CarolinaChris Harden
Project for Introduction to Legal Systems covering topics such as: employment opportunities, roles of the paralegal, requirements to become a certified paralegal, the paralegal\'s day-to-day activities.
Ethnobotany and Ethnopharmacology:
Ethnobotany in herbal drug evaluation,
Impact of Ethnobotany in traditional medicine,
New development in herbals,
Bio-prospecting tools for drug discovery,
Role of Ethnopharmacology in drug evaluation,
Reverse Pharmacology.
Unit 8 - Information and Communication Technology (Paper I).pdfThiyagu K
This slides describes the basic concepts of ICT, basics of Email, Emerging Technology and Digital Initiatives in Education. This presentations aligns with the UGC Paper I syllabus.
How to Create Map Views in the Odoo 17 ERPCeline George
The map views are useful for providing a geographical representation of data. They allow users to visualize and analyze the data in a more intuitive manner.
Instructions for Submissions thorugh G- Classroom.pptxJheel Barad
This presentation provides a briefing on how to upload submissions and documents in Google Classroom. It was prepared as part of an orientation for new Sainik School in-service teacher trainees. As a training officer, my goal is to ensure that you are comfortable and proficient with this essential tool for managing assignments and fostering student engagement.
Welcome to TechSoup New Member Orientation and Q&A (May 2024).pdfTechSoup
In this webinar you will learn how your organization can access TechSoup's wide variety of product discount and donation programs. From hardware to software, we'll give you a tour of the tools available to help your nonprofit with productivity, collaboration, financial management, donor tracking, security, and more.
Model Attribute Check Company Auto PropertyCeline George
In Odoo, the multi-company feature allows you to manage multiple companies within a single Odoo database instance. Each company can have its own configurations while still sharing common resources such as products, customers, and suppliers.
How to Split Bills in the Odoo 17 POS ModuleCeline George
Bills have a main role in point of sale procedure. It will help to track sales, handling payments and giving receipts to customers. Bill splitting also has an important role in POS. For example, If some friends come together for dinner and if they want to divide the bill then it is possible by POS bill splitting. This slide will show how to split bills in odoo 17 POS.
Operation “Blue Star” is the only event in the history of Independent India where the state went into war with its own people. Even after about 40 years it is not clear if it was culmination of states anger over people of the region, a political game of power or start of dictatorial chapter in the democratic setup.
The people of Punjab felt alienated from main stream due to denial of their just demands during a long democratic struggle since independence. As it happen all over the word, it led to militant struggle with great loss of lives of military, police and civilian personnel. Killing of Indira Gandhi and massacre of innocent Sikhs in Delhi and other India cities was also associated with this movement.
The Art Pastor's Guide to Sabbath | Steve ThomasonSteve Thomason
What is the purpose of the Sabbath Law in the Torah. It is interesting to compare how the context of the law shifts from Exodus to Deuteronomy. Who gets to rest, and why?
The Art Pastor's Guide to Sabbath | Steve Thomason
Answer & counterclaim for ms. geiger
1. STATE OF NORTH CAROLINA,
IN THE GENERAL COURT OF
JUSTICE
COUNTY OF WAKE SUPERIOR COURT DIVISION
FILE No. 58942
ANSWER AND COUNTER-CLAIMS
NOW comes Defendant, by and through counsel, answering of the Plaintiff by alleging and
saying:
1. Lacking sufficient information, the Defendant denies the allegations of Paragraph 1.
2. The Defendant denies the allegations of Paragraphs 2 - 4.
3. Lacking sufficient information, the Defendant denies the allegations of Paragraph 5.
4. The Defendant denies the allegations of Paragraphs 6.
5. The Defendant admits the allegations of Paragraph 7.
6. The Defendant denies the allegations of Paragraph 8 and 9.
7. Lacking sufficient information, the Defendant denies the allegations of Paragraphs 10 – 13.
AFFIRMATIVE DEFENSES
8. Defendant realleges all paragraphs of her Answer.
9. Plaintiff’s claims are barred for failing to state a claim upon which relief can be granted.
10. Plaintiff’s claims are barred by Statute of Limitations.
11. Plaintiff’s claims are barred by contributory negligence.
MOLLY CARNEY, )
)
Plaintiff/Counter-Defendant, )
)
vs. )
)
CASSIE GEIGER, )
)
Defendant/Counter-Plaintiff. )
2. COUNTER-CLAIM
Now having answered the Complaint for negligence, the Defendant assumes the
role of the Counter-Plaintiff and would state unto the Court as follows:
12. Counter-Plaintiff realleges all paragraphs of her Answer.
13. Counter-Plaintiff alleges that the Counter-Defendant had a duty to the Counter-Plaintiff to
operate her vehicle in a safe and reasonable manner at all times to avoid damaging the
Counter-Defendant’s vehicle.
14. Counter-Plaintiff alleges that pursuant to N.C. Gen. Stat. § 20-140, the Counter-Defendant
negligently breached her duty of care by operating her vehicle in a manner that resulted in
damages to the Counter-Plaintiff’s vehicle.
15. Counter-Plaintiff alleges that but for the Counter-Defendant coming to a sudden and
unnecessary stop on the highway, that the Counter-Plaintiff’s vehicle would not have been
damaged.
16. Counter-Plaintiff alleges that the proximate cause of the damages to her vehicle’s front
bumper was the Counter-Defendant’s reckless and willful and wanton operation of her own
vehicle.
17. Counter-Plaintiff alleges that the Counter-Defendant’s injuries are inconsistent with a rear-
end collision and are pre-existing injuries aggravated by the deployment of the air bag.
18. Counter-Plaintiff alleges that the Complaint be dismissed for failing to state a claim upon
which relief can be granted
WHEREFORE, Defendant prays that the Court:
1. Dismiss the Counter-Defendant’s Complaint for failing to state a claim upon which relief can
be granted.
3. 2. Deny the Counter-Defendant’s claims against Counter-Plaintiff due to contributory
negligence.
3. Grant the Counter-Plaintiff costs, expenses, and reasonable attorney’s fees pursuant to
N.C.G.S § 75-16.1.
4. Award the Counter-Plaintiff special damages of $1,000.00 for out-of-pocket insurance
expenses and $100.00 for lost wages due to the accident.
5. Award the Counter-Plaintiff any further relief as the Court may deem proper.
VERIFICATION STATEMENT
I CASSIE GEIGER, verify that I understands the set forth facts to be true and correct to the best
of my knowledge and I expect to be able to prove the same at hearing, if deemed necessary in
this matter. I understand that the statements herein are made subject to the penalties relating to
unsworn falsification to authorities.
This the 23rd day of May 2013. ______________________________
CASSIE GEIGER
568 Newbern Avenue, Apartment 12B
Raleigh, NC 27610
4. CERTIFICATE OF SERVICE
I, ___________________, do hereby certify that a copy of the foregoing Answer and
Counterclaim was served upon _____________________ by depositing a copy of it into
a U.S. Mail depository, first-class postage prepaid, properly addressed as follows:
___________________________
Michelle Howe, Esq.
Dewey, Cheatum, and Howe, LLC
2600 New Bern Avenue, Suite 212
Raleigh, NC 27220
___________________________
___________________________
This the 23th day of May, 2013
By: _________________________________
Theresa Schultz, Esq.
Attorney for the Defendant
145 Hargett Street Suite 900
Raleigh, NC 27520
919-555-2210
State Bar No.: 1776
SWORN TO AND SUBSCRIBED BEFORE ME
This the _____ day of ________, 2012
__________________________________
Notary Public
My Commission Expires: ________________
24th May
Kimberly Delacroix
11-24-2015