SUPERIOR COURT OF THE STATE OF RIDGEWAY
REMOVELUNGS,
Plaintiff,
v.
PEAKEFFECT,
Defendant.
No. RSC-CV-678
MOTION FOR ENTRY OF DEFAULT
TO THE CLERK OF COURT–
Plaintiff removelungs, by and through undersigned counsel, hereby, pursuant
to Ridgeway Rule of Civil Procedure 37, moves to direct the Clerk to enter default
judgment since the Defense has failed to appear and serve upon the Plaintiff an
answer to the Complaint.
A declaration in support is attached hereto.
Respectfully submitted.
Dated: October 21st, 2022
Palmer, Ridgeway
/s/ DorkJacob
———————————————————————————
DORKJACOB
Ridgeway Bar No. 17135
Counsel of Record
DorkJacob Law
1700 Belgrade Road
Palmer, Ridgeway
JacobInAustin#0001
Attorney for Plaintiff
SUPERIOR COURT OF THE STATE OF RIDGEWAY
REMOVELUNGS,
Plaintiff,
v.
PEAKEFFECT,
Defendant.
No. RSC-CV-678
DECLARATION OF DORKJACOB IN SUPPORT OF
MOTION FOR ENTRY OF DEFAULT
I, DorkJacob, declare as follows–
1. I am of sound mind and capable of making this declaration. I have personal
knowledge of the facts written in this declaration. I understand that I may be
criminally responsible if I lie in this declaration. This statement is true.
2. I am DorkJacob. I am the attorney for the Plaintiff in the above-entitled
action, and I am familiar with the file, records, and pleadings in this matter.
3. The Complaint was filed on September 19th, 2022 at 10:20 PM Central
Time.
4. The summons was filed on September 19th, 2022 at 10:20 PM Central Time.
5. The summons was served on September 20th, 2022 at 12:20 PM Central
Time by chexburger, a process server of DorkJacob Law.
6. Defendant(s) was/were served with the summons with the Complaint
attached, as reflected on the docket by the proof of service filed on September
20th, 2022.
7. An answer or responsive motion (i.e. a motion to dismiss, motion for
judgment on the pleadings, etc.) was due on September 27th, 2022 at 11:59 PM
Eastern Time.
8. Defendant has failed to plead or otherwise defend within the time allowed
and, therefore, is now in default.
I declare under penalty of perjury that the foregoing is true and correct.
Executed on October 21st, 2022 /s/ DorkJacob
———————————————————————————
DORKJACOB
Ridgeway Bar No. 17135
Counsel of Record
DorkJacob Law
1700 Belgrade Road
Palmer, Ridgeway
JacobInAustin#0001
Attorney for Plaintiff