Nov 3, 2012

Tonkon Torp Law Firm and Obsidian Finance Group, NOW Named Defendants in 13 Trillion Dollar iViewit Technology Case.


Defendants added to iViewit Court Case, Legal Proceedings

"3787.     Obsidian Finance Group,

3788.     Kevin D. Padrick, Esq., in his individual and professional capacities,

3789.     David W. Brown, Esq.,  in his individual and professional capacities,

3790.     Tonkon Torp LLP, any other John Doe ("John Doe") Tonkon Torp LLP partner, affiliate, company, known or not known at this time; including but not limited to Tonkon Torp LLP; Partners, Associates, Of Counsel, Employees, Corporations, Affiliates and any other Tonkon Torp LLP related or affiliated entities both individually and professionally;

3791.     David S. Aman, Esq. in his individual and professional capacities,

3792.     Miller Nash LLP,  any other John Doe ("John Doe") Miller Nash LLP partner, affiliate, company, known or not known at this time; including but not limited to Miller Nash LLP; Partners, Associates, Of Counsel, Employees, Corporations, Affiliates and any other Miller Nash LLP related or affiliated entities both individually and professionally;

3793.     Perkins Coie Trust Company LLC, any other John Doe ("John Doe") Perkins Coie Trust Company LLC partner, affiliate, company, known or not known at this time; including but not limited to Perkins Coie Trust Company LLC; Partners, Associates, Of Counsel, Employees, Corporations, Affiliates and any other Perkins Coie Trust Company LLC related or affiliated entities both individually and professionally;

3794.     Sussman Shank LLP any other John Doe ("John Doe") Sussman Shank LLP partner, affiliate, company, known or not known at this time; including but not limited to Sussman Shank LLP; Partners, Associates, Of Counsel, Employees, Corporations, Affiliates and any Sussman Shank LLP related or affiliated entities both individually and professionally;

3795.     DOJ Trustee Pamela Griffith,

3796.     John and Jane Doe’s 1-5000 inclusive, said names being fictitious, it being the intention of the Plaintiffs to designate any and all entities involved in the acts of malfeasance alleged herein, the true names of the fictitious Defendants are otherwise unknown at the present time and will be supplemented by amendment when ascertained,"

From iViewit, Document Pending, and Will be Added to Post at a Later Date.

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