REBUTTALS TO BRNS ASSERTIONS

REBUTTALS TO BRN’S ASSERTIONS Plaintiff files this surplus document as an Exhibit in further support of her First Amended Complaint. Through this document, Plaintiff seeks to debunk all assertions made by the BRN. Plaintiff states as follows: Petition and Order...

MOTION TO COMPEL DISCOVERY

  XXX Plaintiff vs.   XXX, XXX and XXX Defendants SUPERIOR COURT OF XXX LAW DIVISION Case Number: XXX MOTION TO COMPEL DISCOVERY     COMES NOW, Richard Singletary, Plaintiff pro se, and files this Motion to Compel Discovery. In support thereof,...

Commission Payment

Upon reviewing the agreement, there are a few potential risk areas that you, as Tintoy Limited Liability Company, should consider: Commission Payment: The agreement states that Seller (Tintoy LLC) agrees to pay Agent a commission of 10% of the gross purchasing amount...

DECLARATION TO SEEK A DETAILED REPORT

 Masika Brown Ray 312 Meadowlark Ln. Longview, TX. 75603 (Rusk County) (903) 736-1238 MasikaRay@gmail.com     IN THE DISTRICT COURT OF EASTERN DISTRICT OF TEXAS, MARSHAL DIVISION     CASE NO. 2:23-cv-00046     Masika Brown Ray       Plaintiff (Pro Se), Vs....

Basis for the Motion

In the Matter of: XXX _____________________________________,   Page Number 2, Part Number 3: Basis for the Motion   Sign here ____________________ XXX   This application relates to the denial of my Form I-290B, Notice of Appeal or Motion, as a Motion to...