Email Discovery Request Guidelines
Summary
In Massachusetts, supplementary discovery requests can be sent via email if both parties agree to electronic service. Ensure compliance with specific court rules or agreements. In Rhode Island, Rule 26(e) mandates timely supplementation of discovery responses. If the opposing party fails to comply within 14 days, you may file a motion to compel under Rule 37. Including a detailed list of requested documents in your letter is advisable for clarity.Full Conversation
As you are aware, under Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure, there is a duty to supplement your discovery responses in a timely manner. The rule stipulates that if a party learns that in some material respect the information disclosed is incomplete or incorrect, and if the additional or corrective information has not otherwise been made known to the other parties during the discovery process or in writing, the party must supplement or correct its disclosure or response.
It seems like you're dealing with a discovery issue and are seeking to ensure compliance with the duty to supplement under Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure. However, since you're located in Massachusetts, you might want to consider the Massachusetts Rules of Civil Procedure regarding discovery.
Would you like information about Massachusetts rules or guidance on how to handle this issue in Rhode Island?
Would you like information about Massachusetts rules or guidance on how to handle this issue in Rhode Island?
Given this obligation, we kindly request that you providethe financial statements and accounting records for the years * to the present date. This information is critical for the ongoing proceedings and to ensure full compliance with the discovery requirements.
Please provide the requested documents by [Specify Deadline, e.g., 14 days from the date of this letter] to avoid any further delays. If you have any questions or need further clarification, please do not hesitate to contact me.
Thank you for your prompt attention to this matter.
Sincerely,
James Cronan
It sounds like you're dealing with a discovery request and ensuring compliance with Rule *(e). In Massachusetts, you can send supplementary discovery requests via email if both parties agree to electronic service.
Would you like more information on the Massachusetts Rules of Civil Procedure regarding discovery, or do you need guidance on handling this issue specifically in Rhode Island?
Would you like more information on the Massachusetts Rules of Civil Procedure regarding discovery, or do you need guidance on handling this issue specifically in Rhode Island?
Rhode Island.
In Rhode Island, Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure indeed requires parties to supplement or correct their discovery responses if they find out their previous responses are incomplete or incorrect.
- List the legal issues you are facing:
- Violation of constitutional rights to due process (discovery request denial, jury trial striking).
- Summary process action misapplication.
- Fraudulent foreclosure deed.
- Usury and illegal foreclosure.
*. Evidence
- Highlight the concrete evidence you have:
- Testimony from the private lender.
- Accounting records establishing a *% interest rate.
- Illegal foreclosure deed.
*. Damages~Rhode Island Superior Court Rules of Civil Procedure
For sending discovery requests via email:
- Check if there is an agreement with the opposing party for electronic service.
- Ensure compliance with any specific court orders or local rules on electronic service.
Would you like more detailed guidance on the process for electronic service in Rhode Island?
For sending discovery requests via email:
- Check if there is an agreement with the opposing party for electronic service.
- Ensure compliance with any specific court orders or local rules on electronic service.
Would you like more detailed guidance on the process for electronic service in Rhode Island?
Then if they do not send the supplemental discovery reguests in 14 days I have file with the sourt a motion to compel. Is this right?
Yes, if the other party does not respond to your supplemental discovery requests within the specified deadline, you can file a motion to compel under Rule * of the Rhode Island Superior Court Rules of Civil Procedure. This motion asks the court to order the other party to provide the requested information.
Would you like guidance on how to file a motion to compel in Rhode Island?
Would you like guidance on how to file a motion to compel in Rhode Island?
I have an extensive list of documents being requested . In my letter do I need to add this list too?
Yes, it's generally a good idea to include an extensive list of the requested documents in your letter. This ensures clarity and minimizes any potential misunderstandings. Would you like information on how to format and include this list in your letter?
yes
Formatting and Including a List of Requested Documents in Your Letter:
*. Introduction: Start with a brief introduction explaining the context of your request.
*. List of Documents: Clearly itemize the documents you are requesting. Use bullet points or numbered lists for clarity.
*. Deadline: Specify a clear deadline for the submission of these documents.
*. Contact Information: Provide your contact details for any questions or clarifications.
Would you like a sample format to help you get started?
*. Introduction: Start with a brief introduction explaining the context of your request.
*. List of Documents: Clearly itemize the documents you are requesting. Use bullet points or numbered lists for clarity.
*. Deadline: Specify a clear deadline for the submission of these documents.
*. Contact Information: Provide your contact details for any questions or clarifications.
Would you like a sample format to help you get started?
see the attached list of requested documents
Including a list of requested documents in your letter is indeed a good idea. Here’s a concise guideline on how to format it:
- Summarize the events leading up to the legal issue.
- Include key dates, involved parties, and significant actions.
*. Legal Issues Example Format:
---
[Your Address]
[City, State, ZIP Code]
mikecronan123@gmail.com
*-*-*
October *, *
[Defendant’s Name]
[Defendant’s Address]
[City, State, ZIP Code]
Re: Request for Supplementary Discovery Responses
Dear [Defendant’s Name],
I hope this letter finds you well. I am writing to follow up on our previous requests for financial statements and accounting records for Classic Group Inc and * Fountain Street LLC.
As you are aware, under Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure, there is a duty to supplement your discovery responses in a timely manner.
Requested Documents:
*. Financial statements from * to present for Classic Group Inc.
*. Accounting records from * to present for Classic Group Inc.
*. Financial statements from * to present for * Fountain Street LLC.
*. Accounting records from * to present for * Fountain Street LLC.
Pleaseprovide the requested documents by [Specify Deadline, e.g., 14 days from the date of this letter] to avoid any further delays. If you have any questions or need further clarification, please do not hesitate to contact me.
Thank you for your prompt attention to this matter.
Sincerely,
James Cronan
---
Would you like any additional information on how to file a motion to compel if the documents are not provided?
---
[Your Address]
[City, State, ZIP Code]
mikecronan123@gmail.com
*-*-*
October *, *
[Defendant’s Name]
[Defendant’s Address]
[City, State, ZIP Code]
Re: Request for Supplementary Discovery Responses
Dear [Defendant’s Name],
I hope this letter finds you well. I am writing to follow up on our previous requests for financial statements and accounting records for Classic Group Inc and * Fountain Street LLC.
As you are aware, under Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure, there is a duty to supplement your discovery responses in a timely manner.
Requested Documents:
*. Financial statements from * to present for Classic Group Inc.
*. Accounting records from * to present for Classic Group Inc.
*. Financial statements from * to present for * Fountain Street LLC.
*. Accounting records from * to present for * Fountain Street LLC.
Pleaseprovide the requested documents by [Specify Deadline, e.g., 14 days from the date of this letter] to avoid any further delays. If you have any questions or need further clarification, please do not hesitate to contact me.
Thank you for your prompt attention to this matter.
Sincerely,
James Cronan
---
Would you like any additional information on how to file a motion to compel if the documents are not provided?
i have pages of starting here1. All Documents and Communications concerning any relationship existing or that existed
between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or *
Fountain Street, LLC, on the other hand.
*. All Documents or Communications concerning any contracts, agreements or
understandings between Cronan, on the one hand, and Grieco, Tiernan, The Classic
Group, Inc. and/or * Fountain Street, LLC, on the other hand.
Including a detailed list of requested documents is essential. Here's a format you can follow:
---
[Your Address]
[City, State, ZIP Code]
mikecronan123@gmail.com
*-*-*
October *, *
[Defendant’s Name]
[Defendant’s Address]
[City, State, ZIP Code]
Re: Request for Supplementary Discovery Responses
Dear [Defendant’s Name],
I hope this letter finds you well. I am writing to follow up on our previous requests for financial statements and accounting records for Classic Group Inc and * Fountain Street LLC. As you are aware, under Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure, there is a duty to supplement your discovery responses in a timely manner.
Requested Documents:
*. All Documents and Communications concerning any relationship existing or that existed between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Documents or Communications concerning any contracts, agreements or understandings between Cronan, on the one hand, and Grieco, Tiernan, TheClassic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. Financial statements from * to present for Classic Group Inc.
*. Accounting records from * to present for Classic Group Inc.
*. Financial statements from * to present for * Fountain Street LLC.
*. Accounting records from * to present for * Fountain Street LLC.
Please provide the requested documents by [Specify Deadline, e.g., 14 days from the date of this letter] to avoid any further delays. If you have any questions or need further clarification, please do not hesitate to contact me.
Thank you for your prompt attention to this matter.
Sincerely,
James Cronan
---
Would you like any additional information on how to file a motion to compel if the documents are not provided?
---
[Your Address]
[City, State, ZIP Code]
mikecronan123@gmail.com
*-*-*
October *, *
[Defendant’s Name]
[Defendant’s Address]
[City, State, ZIP Code]
Re: Request for Supplementary Discovery Responses
Dear [Defendant’s Name],
I hope this letter finds you well. I am writing to follow up on our previous requests for financial statements and accounting records for Classic Group Inc and * Fountain Street LLC. As you are aware, under Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure, there is a duty to supplement your discovery responses in a timely manner.
Requested Documents:
*. All Documents and Communications concerning any relationship existing or that existed between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Documents or Communications concerning any contracts, agreements or understandings between Cronan, on the one hand, and Grieco, Tiernan, TheClassic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. Financial statements from * to present for Classic Group Inc.
*. Accounting records from * to present for Classic Group Inc.
*. Financial statements from * to present for * Fountain Street LLC.
*. Accounting records from * to present for * Fountain Street LLC.
Please provide the requested documents by [Specify Deadline, e.g., 14 days from the date of this letter] to avoid any further delays. If you have any questions or need further clarification, please do not hesitate to contact me.
Thank you for your prompt attention to this matter.
Sincerely,
James Cronan
---
Would you like any additional information on how to file a motion to compel if the documents are not provided?
*. All Communications between You and any Person concerning the nature and terms of
Your relationship with Cronan.
*. All Documents and Communications concerning meetings or discussions between You
and Cronan concerning the subject matter of the Litigation.
*. Copies of all agreements between You and any Person concerning The Classic Group,
Inc.
*. Copies of all agreements between You and any Person concerning * Fountain Street,
LLC.
*. Copies of all agreements between You and any Person concerning the * Fountain Street
property.
*. All Documents and Communications between You and the City of Pawtucket concerning
Cronan, The Classic Group, Inc., * Fountain Street, LLC and/or the * Fountain Street
property.
*. All Documents and Communications concerning any wages, salary, commissions,
payments, dividends, distributions, compensation, reimbursements, insurance, benefits
and the like paid or made to Cronan by or for The Classic Group, Inc. and/or * Fountain
Street, LLC.
It looks like you're dealing with a significant discovery issue, and providing a detailed list of documents is indeed necessary. Here’s a concise example of how to format your letter:
---
[Your Address]
[City, State, ZIP Code]
mikecronan123@gmail.com
*-*-*
October *, *
[Defendant’s Name]
[Defendant’s Address]
[City, State, ZIP Code]
Re: Request for Supplementary Discovery Responses
Dear [Defendant’s Name],
I hope this letter finds you well. I am writing to follow up on our previous requests for financial statements and accounting records for Classic Group Inc and * Fountain Street LLC. As you are aware, under Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure, there is a duty to supplement your discovery responses in a timely manner.
Requested Documents:
*. All Documents and Communications concerning any relationship existing or that existed between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Documents or Communications concerning any contracts, agreements or understandingsbetween Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Communications between You and any Person concerning the nature and terms of Your relationship with Cronan.
*. All Documents and Communications concerning meetings or discussions between You and Cronan concerning the subject matter of the Litigation.
*. Copies of all agreements between You and any Person concerning The Classic Group, Inc.
*. Copies of all agreements between You and any Person concerning * Fountain Street, LLC.
*. Copies of all agreements between You and any Person concerning the * Fountain Street property.
*. All Documents and Communications between You and the City of Pawtucket concerning Cronan, The Classic Group, Inc., * Fountain Street, LLC and/or the * Fountain Street property.
*. All Documents and Communications concerning any wages, salary, commissions, payments, dividends, distributions, compensation, reimbursements, insurance, benefits and the like paid or made to Cronan by or for The Classic Group, Inc. and/or * Fountain Street, LLC.
Please provide the requested documents by [Specify Deadline, e.g., 14 days from the date of this letter] to avoid
---
[Your Address]
[City, State, ZIP Code]
mikecronan123@gmail.com
*-*-*
October *, *
[Defendant’s Name]
[Defendant’s Address]
[City, State, ZIP Code]
Re: Request for Supplementary Discovery Responses
Dear [Defendant’s Name],
I hope this letter finds you well. I am writing to follow up on our previous requests for financial statements and accounting records for Classic Group Inc and * Fountain Street LLC. As you are aware, under Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure, there is a duty to supplement your discovery responses in a timely manner.
Requested Documents:
*. All Documents and Communications concerning any relationship existing or that existed between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Documents or Communications concerning any contracts, agreements or understandingsbetween Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Communications between You and any Person concerning the nature and terms of Your relationship with Cronan.
*. All Documents and Communications concerning meetings or discussions between You and Cronan concerning the subject matter of the Litigation.
*. Copies of all agreements between You and any Person concerning The Classic Group, Inc.
*. Copies of all agreements between You and any Person concerning * Fountain Street, LLC.
*. Copies of all agreements between You and any Person concerning the * Fountain Street property.
*. All Documents and Communications between You and the City of Pawtucket concerning Cronan, The Classic Group, Inc., * Fountain Street, LLC and/or the * Fountain Street property.
*. All Documents and Communications concerning any wages, salary, commissions, payments, dividends, distributions, compensation, reimbursements, insurance, benefits and the like paid or made to Cronan by or for The Classic Group, Inc. and/or * Fountain Street, LLC.
Please provide the requested documents by [Specify Deadline, e.g., 14 days from the date of this letter] to avoid
Rather than list them all here. Please update the letter to inlcude the rreguested documents
Sure, here’s an updated version of your letter including the extensive list of requested documents:
---
James Cronan
[Your Address]
[City, State, ZIP Code]
mikecronan123@gmail.com
*-*-*
October *, *
[Defendant’s Name]
[Defendant’s Address]
[City, State, ZIP Code]
Re: Request for Supplementary Discovery Responses
Dear [Defendant’s Name],
I hope this letter finds you well. I am writing to follow up on our previous requests for financial statements and accounting records for Classic Group Inc and * Fountain Street LLC. We have received the documents you provided, covering the period through *. However, we require the financials from * to the present date to ensure comprehensive disclosure.
As you are aware, under Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure, there is a duty to supplement your discovery responses in a timely manner. The rule stipulates that if a party learns that in some material respect the information disclosed is incomplete or incorrect, and if the additional or corrective information has not otherwise been made known to the other parties during the discovery process orin writing, the party must supplement or correct its disclosure or response.
Given this obligation, we kindly request that you provide the following documents:
Requested Documents:
*. Financial statements from * to present for Classic Group Inc.
*. Accounting records from * to present for Classic Group Inc.
*. Financial statements from * to present for * Fountain Street LLC.
*. Accounting records from * to present for * Fountain Street LLC.
*. All Documents and Communications concerning any relationship existing or that existed between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Documents or Communications concerning any contracts, agreements or understandings between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Communications between You and any Person concerning the nature and terms of Your relationship with Cronan.
*. All Documents and Communications concerning meetings or discussions between You and Cronan concerning the subject matter of the Litigation.
*. Copies of all agreements between You and any Person concerning The Classic Group,
---
James Cronan
[Your Address]
[City, State, ZIP Code]
mikecronan123@gmail.com
*-*-*
October *, *
[Defendant’s Name]
[Defendant’s Address]
[City, State, ZIP Code]
Re: Request for Supplementary Discovery Responses
Dear [Defendant’s Name],
I hope this letter finds you well. I am writing to follow up on our previous requests for financial statements and accounting records for Classic Group Inc and * Fountain Street LLC. We have received the documents you provided, covering the period through *. However, we require the financials from * to the present date to ensure comprehensive disclosure.
As you are aware, under Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure, there is a duty to supplement your discovery responses in a timely manner. The rule stipulates that if a party learns that in some material respect the information disclosed is incomplete or incorrect, and if the additional or corrective information has not otherwise been made known to the other parties during the discovery process orin writing, the party must supplement or correct its disclosure or response.
Given this obligation, we kindly request that you provide the following documents:
Requested Documents:
*. Financial statements from * to present for Classic Group Inc.
*. Accounting records from * to present for Classic Group Inc.
*. Financial statements from * to present for * Fountain Street LLC.
*. Accounting records from * to present for * Fountain Street LLC.
*. All Documents and Communications concerning any relationship existing or that existed between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Documents or Communications concerning any contracts, agreements or understandings between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Communications between You and any Person concerning the nature and terms of Your relationship with Cronan.
*. All Documents and Communications concerning meetings or discussions between You and Cronan concerning the subject matter of the Litigation.
*. Copies of all agreements between You and any Person concerning The Classic Group,
Is it 14 days or 40 days ?Given this obligation, we kindly request that you provide the following documents:
Requested Documents:
You should request the documents within 14 days to ensure timely compliance with the discovery process. If the other party fails to comply, you can then file a motion to compel.
Would you like more information on how to proceed if the documents are not provided within the deadline?
Would you like more information on how to proceed if the documents are not provided within the deadline?
Please update the letter to include the 14 days.
Sure! Here's the updated letter, including the *-day deadline:
---
James Cronan
[Your Address]
[City, State, ZIP Code]
mikecronan123@gmail.com
*-*-*
October *, *
[Defendant’s Name]
[Defendant’s Address]
[City, State, ZIP Code]
Re: Request for Supplementary Discovery Responses
Dear [Defendant’s Name],
I hope this letter finds you well. I am writing to follow up on our previous requests for financial statements and accounting records for Classic Group Inc and * Fountain Street LLC. We have received the documents you provided, covering the period through *. However, we require the financials from * to the present date to ensure comprehensive disclosure.
As you are aware, under Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure, there is a duty to supplement your discovery responses in a timely manner. The rule stipulates that if a party learns that in some material respect the information disclosed is incomplete or incorrect, and if the additional or corrective information has not otherwise been made known to the other parties during the discovery process or in writing, theparty must supplement or correct its disclosure or response.
Given this obligation, we kindly request that you provide the following documents:
Requested Documents:
*. Financial statements from * to present for Classic Group Inc.
*. Accounting records from * to present for Classic Group Inc.
*. Financial statements from * to present for * Fountain Street LLC.
*. Accounting records from * to present for * Fountain Street LLC.
*. All Documents and Communications concerning any relationship existing or that existed between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Documents or Communications concerning any contracts, agreements or understandings between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Communications between You and any Person concerning the nature and terms of Your relationship with Cronan.
*. All Documents and Communications concerning meetings or discussions between You and Cronan concerning the subject matter of the Litigation.
*. Copies of all agreements between You and any Person concerning The Classic Group, Inc.
*.
---
James Cronan
[Your Address]
[City, State, ZIP Code]
mikecronan123@gmail.com
*-*-*
October *, *
[Defendant’s Name]
[Defendant’s Address]
[City, State, ZIP Code]
Re: Request for Supplementary Discovery Responses
Dear [Defendant’s Name],
I hope this letter finds you well. I am writing to follow up on our previous requests for financial statements and accounting records for Classic Group Inc and * Fountain Street LLC. We have received the documents you provided, covering the period through *. However, we require the financials from * to the present date to ensure comprehensive disclosure.
As you are aware, under Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure, there is a duty to supplement your discovery responses in a timely manner. The rule stipulates that if a party learns that in some material respect the information disclosed is incomplete or incorrect, and if the additional or corrective information has not otherwise been made known to the other parties during the discovery process or in writing, theparty must supplement or correct its disclosure or response.
Given this obligation, we kindly request that you provide the following documents:
Requested Documents:
*. Financial statements from * to present for Classic Group Inc.
*. Accounting records from * to present for Classic Group Inc.
*. Financial statements from * to present for * Fountain Street LLC.
*. Accounting records from * to present for * Fountain Street LLC.
*. All Documents and Communications concerning any relationship existing or that existed between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Documents or Communications concerning any contracts, agreements or understandings between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Communications between You and any Person concerning the nature and terms of Your relationship with Cronan.
*. All Documents and Communications concerning meetings or discussions between You and Cronan concerning the subject matter of the Litigation.
*. Copies of all agreements between You and any Person concerning The Classic Group, Inc.
*.
Please update the letter to include the 14 days.
Sure, here’s an updated version of your letter including the *-day deadline:
---
James Cronan
[Your Address]
[City, State, ZIP Code]
mikecronan123@gmail.com
*-*-*
October *, *
[Defendant’s Name]
[Defendant’s Address]
[City, State, ZIP Code]
Re: Request for Supplementary Discovery Responses
Dear [Defendant’s Name],
I hope this letter finds you well. I am writing to follow up on our previous requests for financial statements and accounting records for Classic Group Inc and * Fountain Street LLC. We have received the documents you provided, covering the period through *. However, we require the financials from * to the present date to ensure comprehensive disclosure.
As you are aware, under Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure, there is a duty to supplement your discovery responses in a timely manner. The rule stipulates that if a party learns that in some material respect the information disclosed is incomplete or incorrect, and if the additional or corrective information has not otherwise been made known to the other parties during the discovery process or inwriting, the party must supplement or correct its disclosure or response.
Given this obligation, we kindly request that you provide the following documents:
Requested Documents:
*. Financial statements from * to present for Classic Group Inc.
*. Accounting records from * to present for Classic Group Inc.
*. Financial statements from * to present for * Fountain Street LLC.
*. Accounting records from * to present for * Fountain Street LLC.
*. All Documents and Communications concerning any relationship existing or that existed between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Documents or Communications concerning any contracts, agreements, or understandings between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Communications between You and any Person concerning the nature and terms of Your relationship with Cronan.
*. All Documents and Communications concerning meetings or discussions between You and Cronan concerning the subject matter of the Litigation.
*. Copies of all agreements between You and any Person concerning The Classic Group,
---
James Cronan
[Your Address]
[City, State, ZIP Code]
mikecronan123@gmail.com
*-*-*
October *, *
[Defendant’s Name]
[Defendant’s Address]
[City, State, ZIP Code]
Re: Request for Supplementary Discovery Responses
Dear [Defendant’s Name],
I hope this letter finds you well. I am writing to follow up on our previous requests for financial statements and accounting records for Classic Group Inc and * Fountain Street LLC. We have received the documents you provided, covering the period through *. However, we require the financials from * to the present date to ensure comprehensive disclosure.
As you are aware, under Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure, there is a duty to supplement your discovery responses in a timely manner. The rule stipulates that if a party learns that in some material respect the information disclosed is incomplete or incorrect, and if the additional or corrective information has not otherwise been made known to the other parties during the discovery process or inwriting, the party must supplement or correct its disclosure or response.
Given this obligation, we kindly request that you provide the following documents:
Requested Documents:
*. Financial statements from * to present for Classic Group Inc.
*. Accounting records from * to present for Classic Group Inc.
*. Financial statements from * to present for * Fountain Street LLC.
*. Accounting records from * to present for * Fountain Street LLC.
*. All Documents and Communications concerning any relationship existing or that existed between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Documents or Communications concerning any contracts, agreements, or understandings between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Communications between You and any Person concerning the nature and terms of Your relationship with Cronan.
*. All Documents and Communications concerning meetings or discussions between You and Cronan concerning the subject matter of the Litigation.
*. Copies of all agreements between You and any Person concerning The Classic Group,
I close the letter with this :Please Provide the requested documents 14 days from the date of this letter to avoid any further delays. If you have any questions or need further clarification, please do not hesitate to contact me.
Sure, here's the updated version of your letter including the *-day deadline:
---
James Cronan
[Your Address]
[City, State, ZIP Code]
mikecronan123@gmail.com
*-*-*
October *, *
[Defendant’s Name]
[Defendant’s Address]
[City, State, ZIP Code]
Re: Request for Supplementary Discovery Responses
Dear [Defendant’s Name],
I hope this letter finds you well. I am writing to follow up on our previous requests for financial statements and accounting records for Classic Group Inc and * Fountain Street LLC. We have received the documents you provided, covering the period through *. However, we require the financials from * to the present date to ensure comprehensive disclosure.
As you are aware, under Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure, there is a duty to supplement your discovery responses in a timely manner. The rule stipulates that if a party learns that in some material respect the information disclosed is incomplete or incorrect, and if the additional or corrective information has not otherwise been made known to the other parties during the discovery process or in writing, the party must supplement or correct its disclosure or response.
Given this obligation, we kindly request that you provide the following documents:
Requested Documents:
*. Financial statements from * to present for Classic Group Inc.
*. Accounting records from * to present for Classic Group Inc.
*. Financial statements from * to present for * Fountain Street LLC.
*. Accounting records from * to present for * Fountain Street LLC.
*. All Documents and Communications concerning any relationship existing or that existed between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Documents or Communications concerning any contracts, agreements, or understandings between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Communications between You and any Person concerning the nature and terms of Your relationship with Cronan.
*. All Documents and Communications concerning meetings or discussions between You and Cronan concerning the subject matter of the Litigation.
*. Copies of all agreements between You and any Person concerning The Classic Group, Inc
---
James Cronan
[Your Address]
[City, State, ZIP Code]
mikecronan123@gmail.com
*-*-*
October *, *
[Defendant’s Name]
[Defendant’s Address]
[City, State, ZIP Code]
Re: Request for Supplementary Discovery Responses
Dear [Defendant’s Name],
I hope this letter finds you well. I am writing to follow up on our previous requests for financial statements and accounting records for Classic Group Inc and * Fountain Street LLC. We have received the documents you provided, covering the period through *. However, we require the financials from * to the present date to ensure comprehensive disclosure.
As you are aware, under Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure, there is a duty to supplement your discovery responses in a timely manner. The rule stipulates that if a party learns that in some material respect the information disclosed is incomplete or incorrect, and if the additional or corrective information has not otherwise been made known to the other parties during the discovery process or in writing, the party must supplement or correct its disclosure or response.
Given this obligation, we kindly request that you provide the following documents:
Requested Documents:
*. Financial statements from * to present for Classic Group Inc.
*. Accounting records from * to present for Classic Group Inc.
*. Financial statements from * to present for * Fountain Street LLC.
*. Accounting records from * to present for * Fountain Street LLC.
*. All Documents and Communications concerning any relationship existing or that existed between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Documents or Communications concerning any contracts, agreements, or understandings between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Communications between You and any Person concerning the nature and terms of Your relationship with Cronan.
*. All Documents and Communications concerning meetings or discussions between You and Cronan concerning the subject matter of the Litigation.
*. Copies of all agreements between You and any Person concerning The Classic Group, Inc
I dont see it because what you are sending stops at *.
Looks like you're dealing with a detailed discovery request. Here's the updated letter with all the requested documents listed and the *-day deadline included:
---
James Cronan
[Your Address]
[City, State, ZIP Code]
mikecronan123@gmail.com
*-*-*
October *, *
[Defendant’s Name]
[Defendant’s Address]
[City, State, ZIP Code]
Re: Request for Supplementary Discovery Responses
Dear [Defendant’s Name],
I hope this letter finds you well. I am writing to follow up on our previous requests for financial statements and accounting records for Classic Group Inc and * Fountain Street LLC. We have received the documents you provided, covering the period through *. However, we require the financials from * to the present date to ensure comprehensive disclosure.
As you are aware, under Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure, there is a duty to supplement your discovery responses in a timely manner. The rule stipulates that if a party learns that in some material respect the information disclosed is incomplete or incorrect, and if the additional or corrective information has not otherwise been madeknown to the other parties during the discovery process or in writing, the party must supplement or correct its disclosure or response.
Given this obligation, we kindly request that you provide the following documents:
Requested Documents:
*. Financial statements from * to present for Classic Group Inc.
*. Accounting records from * to present for Classic Group Inc.
*. Financial statements from * to present for * Fountain Street LLC.
*. Accounting records from * to present for * Fountain Street LLC.
*. All Documents and Communications concerning any relationship existing or that existed between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc., and/or * Fountain Street, LLC, on the other hand.
*. All Documents or Communications concerning any contracts, agreements, or understandings between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc., and/or * Fountain Street, LLC, on the other hand.
*. All Communications between You and any Person concerning the nature and terms of Your relationship with Cronan.
*. All Documents and Communications concerning meetings or discussions between You and Cronan concerning the subject matter of the Litigation.
*. Copies of all
---
James Cronan
[Your Address]
[City, State, ZIP Code]
mikecronan123@gmail.com
*-*-*
October *, *
[Defendant’s Name]
[Defendant’s Address]
[City, State, ZIP Code]
Re: Request for Supplementary Discovery Responses
Dear [Defendant’s Name],
I hope this letter finds you well. I am writing to follow up on our previous requests for financial statements and accounting records for Classic Group Inc and * Fountain Street LLC. We have received the documents you provided, covering the period through *. However, we require the financials from * to the present date to ensure comprehensive disclosure.
As you are aware, under Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure, there is a duty to supplement your discovery responses in a timely manner. The rule stipulates that if a party learns that in some material respect the information disclosed is incomplete or incorrect, and if the additional or corrective information has not otherwise been madeknown to the other parties during the discovery process or in writing, the party must supplement or correct its disclosure or response.
Given this obligation, we kindly request that you provide the following documents:
Requested Documents:
*. Financial statements from * to present for Classic Group Inc.
*. Accounting records from * to present for Classic Group Inc.
*. Financial statements from * to present for * Fountain Street LLC.
*. Accounting records from * to present for * Fountain Street LLC.
*. All Documents and Communications concerning any relationship existing or that existed between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc., and/or * Fountain Street, LLC, on the other hand.
*. All Documents or Communications concerning any contracts, agreements, or understandings between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc., and/or * Fountain Street, LLC, on the other hand.
*. All Communications between You and any Person concerning the nature and terms of Your relationship with Cronan.
*. All Documents and Communications concerning meetings or discussions between You and Cronan concerning the subject matter of the Litigation.
*. Copies of all
should i stae the 14 days deadline before the Requested Documents to ensure that they see it?
Yes, it's a good idea to state the *-day deadline clearly before listing the requested documents to ensure it is noticeable. Here's an updated version of your letter:
---
James Cronan
[Your Address]
[City, State, ZIP Code]
mikecronan123@gmail.com
*-*-*
October *, *
[Defendant’s Name]
[Defendant’s Address]
[City, State, ZIP Code]
Re: Request for Supplementary Discovery Responses
Dear [Defendant’s Name],
I hope this letter finds you well. I am writing to follow up on our previous requests for financial statements and accounting records for Classic Group Inc and * Fountain Street LLC. We have received the documents you provided, covering the period through *. However, we require the financials from * to the present date to ensure comprehensive disclosure.
As you are aware, under Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure, there is a duty to supplement your discovery responses in a timely manner. The rule stipulates that if a party learns that in some material respect the information disclosed is incomplete or incorrect, and if the additional or corrective informationhas not otherwise been made known to the other parties during the discovery process or in writing, the party must supplement or correct its disclosure or response.
Given this obligation, we kindly request that you provide the following documents within 14 days from the date of this letter to avoid any further delays.
Requested Documents:
*. Financial statements from * to present for Classic Group Inc.
*. Accounting records from * to present for Classic Group Inc.
*. Financial statements from * to present for * Fountain Street LLC.
*. Accounting records from * to present for * Fountain Street LLC.
*. All Documents and Communications concerning any relationship existing or that existed between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Documents or Communications concerning any contracts, agreements, or understandings between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Communications between You and any Person concerning the nature and terms of Your relationship with Cronan.
*. All Documents and
---
James Cronan
[Your Address]
[City, State, ZIP Code]
mikecronan123@gmail.com
*-*-*
October *, *
[Defendant’s Name]
[Defendant’s Address]
[City, State, ZIP Code]
Re: Request for Supplementary Discovery Responses
Dear [Defendant’s Name],
I hope this letter finds you well. I am writing to follow up on our previous requests for financial statements and accounting records for Classic Group Inc and * Fountain Street LLC. We have received the documents you provided, covering the period through *. However, we require the financials from * to the present date to ensure comprehensive disclosure.
As you are aware, under Rule *(e) of the Rhode Island Superior Court Rules of Civil Procedure, there is a duty to supplement your discovery responses in a timely manner. The rule stipulates that if a party learns that in some material respect the information disclosed is incomplete or incorrect, and if the additional or corrective informationhas not otherwise been made known to the other parties during the discovery process or in writing, the party must supplement or correct its disclosure or response.
Given this obligation, we kindly request that you provide the following documents within 14 days from the date of this letter to avoid any further delays.
Requested Documents:
*. Financial statements from * to present for Classic Group Inc.
*. Accounting records from * to present for Classic Group Inc.
*. Financial statements from * to present for * Fountain Street LLC.
*. Accounting records from * to present for * Fountain Street LLC.
*. All Documents and Communications concerning any relationship existing or that existed between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Documents or Communications concerning any contracts, agreements, or understandings between Cronan, on the one hand, and Grieco, Tiernan, The Classic Group, Inc. and/or * Fountain Street, LLC, on the other hand.
*. All Communications between You and any Person concerning the nature and terms of Your relationship with Cronan.
*. All Documents and
help me to write a letter. Dear Paula Treasuere of Norton I have recently moved to * Oak Street, Norton making it my primary residence. Therby I request the tax accomodation that the state of Massachusetts gives it to its senor citizens who are facing financial hardship. I'd like to leran more about this to ensure the safety of my ingabitants. Could you send me my next step form to fill out?
---
James Cronan
* Oak Street
Norton, MA
mikecronan123@gmail.com
*-*-*
October *, *
Paula [Last Name]
Treasurer of Norton
[Treasurer's Office Address]
Norton, MA
Dear Paula,
I have recently moved to * Oak Street, Norton, making it my primary residence. I am writing to request information on the tax accommodations available for senior citizens in Massachusetts who are experiencing financial hardship.
Could you please send me the necessary forms and instructions for applying for this tax relief?
Thank you for your assistance.
Sincerely,
James Cronan
James Cronan
* Oak Street
Norton, MA
mikecronan123@gmail.com
*-*-*
October *, *
Paula [Last Name]
Treasurer of Norton
[Treasurer's Office Address]
Norton, MA
Dear Paula,
I have recently moved to * Oak Street, Norton, making it my primary residence. I am writing to request information on the tax accommodations available for senior citizens in Massachusetts who are experiencing financial hardship.
Could you please send me the necessary forms and instructions for applying for this tax relief?
Thank you for your assistance.
Sincerely,
James Cronan
Dear Paula,
I have recently moved to * Oak Street, Norton, making it my primary residence. Although I'm very pleased for my move facing the alternative of homelessness, it forced me to kindly evict my renter at Oak Street and therybe unable to contine our payment plan. I am writing to request information on the tax accommodations available for senior citizens in Massachusetts who are experiencing financial hardship.
Could you please send me the necessary forms and instructions for applying for this tax relief?
---
James Cronan
* Oak Street
Norton, MA
mikecronan123@gmail.com
*-*-*
October *, *
Paula [Last Name]
Treasurer of Norton
[Treasurer's Office Address]
Norton, MA
Dear Paula,
I have recently moved to * Oak Street, Norton, making it my primary residence. Although I am pleased with the move, it has resulted in the eviction of my renter, making me unable to continue our payment plan. I am writing to request information on the tax accommodations available for senior citizens in Massachusetts who are experiencing financial hardship.
Could you please send me the necessary forms and instructions for applying for this tax relief?
Thank you for your assistance.
Sincerely,
James Cronan
James Cronan
* Oak Street
Norton, MA
mikecronan123@gmail.com
*-*-*
October *, *
Paula [Last Name]
Treasurer of Norton
[Treasurer's Office Address]
Norton, MA
Dear Paula,
I have recently moved to * Oak Street, Norton, making it my primary residence. Although I am pleased with the move, it has resulted in the eviction of my renter, making me unable to continue our payment plan. I am writing to request information on the tax accommodations available for senior citizens in Massachusetts who are experiencing financial hardship.
Could you please send me the necessary forms and instructions for applying for this tax relief?
Thank you for your assistance.
Sincerely,
James Cronan
Could you edit to include this?Dear Paula, I have recently moved to * Oak Street, Norton, making it my primary residence. Although I'm very pleased for my move facing the alternative of homelessness, it forced me to kindly evict my renter at Oak Street and therybe unable to contine our payment plan. I am writing to request information on the tax accommodations available for senior citizens in Massachusetts who are experiencing financial hardship. Could you please send me the necessary forms and instructions for applying for this tax relief?
Sure, here's your revised letter:
---
James Cronan
* Oak Street
Norton, MA
mikecronan123@gmail.com
*-*-*
October *, *
Paula [Last Name]
Treasurer of Norton
[Treasurer's Office Address]
Norton, MA
Dear Paula,
I have recently moved to * Oak Street, Norton, making it my primary residence. Although I'm very pleased with my move, considering the alternative of homelessness, it forced me to kindly evict my renter at Oak Street, thereby making them unable to continue our payment plan.
I am writing to request information on the tax accommodations available for senior citizens in Massachusetts who are experiencing financial hardship. Could you please send me the necessary forms and instructions for applying for this tax relief?
Thank you for your assistance.
Sincerely,
James Cronan
---
Would you like any additional information on the tax relief options available for seniors in Massachusetts?
---
James Cronan
* Oak Street
Norton, MA
mikecronan123@gmail.com
*-*-*
October *, *
Paula [Last Name]
Treasurer of Norton
[Treasurer's Office Address]
Norton, MA
Dear Paula,
I have recently moved to * Oak Street, Norton, making it my primary residence. Although I'm very pleased with my move, considering the alternative of homelessness, it forced me to kindly evict my renter at Oak Street, thereby making them unable to continue our payment plan.
I am writing to request information on the tax accommodations available for senior citizens in Massachusetts who are experiencing financial hardship. Could you please send me the necessary forms and instructions for applying for this tax relief?
Thank you for your assistance.
Sincerely,
James Cronan
---
Would you like any additional information on the tax relief options available for seniors in Massachusetts?
Previosuly you asked: what outcome are you specifically seeking from this appeal (e.g., reversal of foreclosure, monetary damages)? If I was seeking money damages verses reversal of forclsoure would I conduct a different approach to my brief that is due soon?
If you are seeking monetary damages versus a reversal of foreclosure, the approach to your brief would indeed be different. Here are some key points:
- Monetary Damages:
- Focus on proving financial harm.
- Provide detailed evidence of losses (e.g., property value, missed opportunities).
- Argue for specific amounts based on documented damages.
- Reversal of Foreclosure:
- Emphasize procedural errors or legal violations.
- Highlight any actions by the lender that were unfair or unlawful.
- Argue for the restoration of property ownership.
Would you like more detailed guidance on structuring your brief for either of these outcomes?
- Monetary Damages:
- Focus on proving financial harm.
- Provide detailed evidence of losses (e.g., property value, missed opportunities).
- Argue for specific amounts based on documented damages.
- Reversal of Foreclosure:
- Emphasize procedural errors or legal violations.
- Highlight any actions by the lender that were unfair or unlawful.
- Argue for the restoration of property ownership.
Would you like more detailed guidance on structuring your brief for either of these outcomes?
Yes would I still seek relief either way under rule * b(*) or (*) as the opposing counsel knowingly filed a fraudulent forclosure deed in violation of M.G.L.c * section * usury laws in to housing court that the judge ignored that lead to an illegal eviction. I just underwent a * hour notice to quit. the assessed tax value of my home was *,*.
You can seek relief under Rule *(b)(*) or (*) for either monetary damages or reversal of foreclosure:
- Rule *(b)(*): Focus on the judgment being void due to jurisdictional issues or due process violations.
- Rule *(b)(*): Emphasize any other reason justifying relief, such as fraud or misconduct by the opposing party.
Would you like more detailed guidance on drafting your motion under these rules?
- Rule *(b)(*): Focus on the judgment being void due to jurisdictional issues or due process violations.
- Rule *(b)(*): Emphasize any other reason justifying relief, such as fraud or misconduct by the opposing party.
Would you like more detailed guidance on drafting your motion under these rules?
Yes would I still seek relief either way under rule * b(*) or (*) as the opposing counsel knowingly filed a fraudulent forclosure deed in violation of M.G.L.c * section * usury laws in to housing court that the judge ignored that lead to an illegal eviction. I just underwent a * hour notice to quit. the assessed tax value of my home was *,*.
Case Rating: *
Under Federal Rule of Civil Procedure *(b), you could seek relief from a judgment due to:
- *(b)(*): The judgment is void.
- *(b)(*): Any other reason that justifies relief.
Since you're dealing with a fraudulent foreclosure deed and potential usury law violations, both provisions might be applicable.
Would you like guidance on how to draft a motion under Rule *(b) for this situation?
Under Federal Rule of Civil Procedure *(b), you could seek relief from a judgment due to:
- *(b)(*): The judgment is void.
- *(b)(*): Any other reason that justifies relief.
Since you're dealing with a fraudulent foreclosure deed and potential usury law violations, both provisions might be applicable.
Would you like guidance on how to draft a motion under Rule *(b) for this situation?
My evidence is concrete; (*) I have the testimony in federal court from the private lender confessing that he misrepresented the actuall amount owed on the supposed debt. (*) I have the accounting of the supposed debt establishing a *% interest rate. (*) the illegal forclsoure deed. The purported debt is void ab intio due to coercion, illegality and fraud created by my financial advisor who made promises to me but what I signed was no the promises. I am confused would i still seek Rule * 9b) if I ssk damages rather than a void judgement?
Yes, you can still seek relief under Rule *(b) whether you're pursuing monetary damages or seeking to void the judgment due to fraud and illegality. Here's a concise breakdown:
- Rule *(b)(*): For voiding the judgment due to it being void (e.g., due to fraud, misrepresentation, or violation of usury laws).
- Rule *(b)(*): For any other reason justifying relief (e.g., financial harm caused by wrongful foreclosure).
The approach to your brief should focus on:
- Presenting concrete evidence of fraud, coercion, and illegality.
- Detailing the financial harm and the wrongful actions of the opposing party.
- Specifically requesting either monetary damages or the voiding of the foreclosure and restoration of your property rights.
Would you like guidance on drafting the motion under Rule *(b)?
- Rule *(b)(*): For voiding the judgment due to it being void (e.g., due to fraud, misrepresentation, or violation of usury laws).
- Rule *(b)(*): For any other reason justifying relief (e.g., financial harm caused by wrongful foreclosure).
The approach to your brief should focus on:
- Presenting concrete evidence of fraud, coercion, and illegality.
- Detailing the financial harm and the wrongful actions of the opposing party.
- Specifically requesting either monetary damages or the voiding of the foreclosure and restoration of your property rights.
Would you like guidance on drafting the motion under Rule *(b)?
presently in federal court with an attorney I am suing the private lender for illegal forclsoure, usury, breach of contract and 93a. In this appeal I want to sue the opposing counsel who is in a client-attorney relationship with all of the partes icluding the financial advisor, private lender anf the third party who bought the illegal forclsoure. I seek damages for their conspirarcy to aide and abett an illegal foereclosure, usuary and etc.
To pursue a case against the opposing counsel for conspiracy to aid and abet illegal foreclosure, usury, and other claims, you will need to demonstrate clear evidence of their involvement and the damages caused by their actions. Here are some general steps and points to consider:
- Evidence Collection: Gather all relevant documentation and evidence that shows the opposing counsel's involvement in the conspiracy and illegal activities.
- Legal Basis: Highlight the applicable laws and statutes that support your claims, such as Massachusetts usury laws (M.G.L.c. *, § *) and any relevant federal statutes.
- Damages: Clearly outline the damages you have suffered due to their actions, including financial loss, emotional distress, etc.
Would you like specific guidance on drafting the complaint for this new claim?
- Evidence Collection: Gather all relevant documentation and evidence that shows the opposing counsel's involvement in the conspiracy and illegal activities.
- Legal Basis: Highlight the applicable laws and statutes that support your claims, such as Massachusetts usury laws (M.G.L.c. *, § *) and any relevant federal statutes.
- Damages: Clearly outline the damages you have suffered due to their actions, including financial loss, emotional distress, etc.
Would you like specific guidance on drafting the complaint for this new claim?
Appeal court can not award damges though, right?
You're correct; appellate courts typically do not award damages. Their role is to review the lower court's decision for legal errors and determine whether to affirm, reverse, or remand the case. If you seek damages, a separate civil lawsuit would be more appropriate.
Would you like guidance on how to proceed with a civil lawsuit against the opposing counsel for conspiracy to aid and abet illegal foreclosure and usury?
Would you like guidance on how to proceed with a civil lawsuit against the opposing counsel for conspiracy to aid and abet illegal foreclosure and usury?
I think I would like guidance on how to write a summary of my case to seek a litigant to represnt me in a contingence case. Should I include suing the state for a violation of my constuitional rights to due process as my discovery request were denied, my jury trial was stricken and I was subject to a summary process action that is primarily for landlord and tenants which parties were neither.
When drafting a summary of your case to seek a litigant to represent you on a contingency basis, it's essential to be clear, concise, and highlight the key aspects of your legal issues. Here’s a structured outline to guide you:
- Briefly introduce yourself and your situation.
- Mention your location (Massachusetts) to align with jurisdictional considerations.
*. Background Case Summary Outline
*. Introduction- Briefly introduce yourself and your situation.
- Mention your location (Massachusetts) to align with jurisdictional considerations.
- Summarize the events leading up to the legal issue.
- Include key dates, involved parties, and significant actions.
- List the legal issues you are facing:
- Violation of constitutional rights to due process (discovery request denial, jury trial striking).
- Summary process action misapplication.
- Fraudulent foreclosure deed.
- Usury and illegal foreclosure.
- Highlight the concrete evidence you have:
- Testimony from the private lender.
- Accounting records establishing a *% interest rate.
- Illegal foreclosure deed.
- Detail the financial and personal harm caused:
- Assessed tax value of your home($*,*).
- Emotional and financial stress due to eviction and foreclosure.
- Mention any ongoing proceedings, such as the federal court lawsuit against the private lender.
- State your intention to pursue additional legal action against opposing counsel for conspiracy and aiding in illegal activities.