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8/12/2019 Defendant and Counterclaim Plaintiff's Motion to file Second Amended Counterclaim
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_ _ _ _ _ _ _ _ _ _ _ _ . . ; : : I L F O - _ _ , E i - l T E R E D
- - - - - - ' t: .' J G E C ' -_~f:fCfr\lED
U.S. DISTRICT COURT FOR THE
DISTRICT OF MARYLAND
(Northern Division)
WIL LIA M J OHN J OSEPH HOGE III )
)
Plaintiff, )
)
~ ))
WILLIAM M. SCHMALFELDT )
)
Defendant. )
----------)WILLIAM M. SCHMALFELDT )
)Counterclaim Plaintiff, )
)
~ ))
WIL LIA M J OHN J OSEPH HOGE I II )
)
Counterclaim Defendant. )
----------)WILLIAM M. SCHMALFELDT )
)
Counterclaim Plaintiff, )
)
~ ))
" PAUL KRENDLER" Anonymous Blogger)
)
Counterclaim Defendant. )
)
Case Number 1:14-cv-01683-ELH
MOTION FOR LEAVE TO FILE SECONDAMENDED COUNTERCLAIM
Comes now Defendant and Counterclaim Plaintiff William M. Schmalfeldt and
moves this Court to allow him to file a Second Amended Counterclaim.
Pursuant to Local Rule 103.6. Defendant and Counterclaim Plaintiff
Schmalfeldt has filed this motion with a redlined copy of his Original Answer to the
Case 1:14-cv-01683-ELH Document 38 Filed 07/18/14 Page 1 of 3
8/12/2019 Defendant and Counterclaim Plaintiff's Motion to file Second Amended Counterclaim
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Plaintiffs Amended Complaint and his First Amended Counterclaim with this Reply
to Counterclaim Defendant's Motion to Dismiss Counterclaim Plaintiffs
Counterclaim. As this is the Defendant and Counterclaim Plaintiffs First Amended
Answer to Plaintiff and Counterclaim Defendant Hoge's Amended Complaint, leave
of the Court is not required. In the interest of clarity (blessed clarity) Schmalfeldt has
filed this motion with copies of his Original Answer to Hoge's Amended Complaint
(ECF18) and his First Amended Counterclaim (ECF8). Both previously filed
documents have been completely red lined to allow Schmalfeldt to state his
Amended Answer and Second Amended Counterclaim in as clear a fashion as
possible.
Respectfully submitted
DATED: July 17, 2014
By:
1J/PJ1,~-William M. Schmalfeldt, Pro Se6636 Washington Blvd., Lot 71
Elkridge, Maryland 21075
bschmalfeldt@comcast-net
410-206-9637 (telephone)
Verification
I certil'y under penalty of perjury that the foregoing is true and correct to the
best of my knowledge and belief.
p/~William M. SchmalfeldtCertificate ofService
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Case 1:14-cv-01683-ELH Document 38 Filed 07/18/14 Page 2 of 3
8/12/2019 Defendant and Counterclaim Plaintiff's Motion to file Second Amended Counterclaim
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I certify that on the 17th day of July, 2014, I served a copy of the foregoing
Motion for Leave to File a Second Amended Counterclaim on William John Joseph
Hoge III by First Class, Certified Mail, Return Receipt Requested to 20 Ridge Road,
Westminster, MD 21157
William M. Schmalfeldt
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Case 1:14-cv-01683-ELH Document 38 Filed 07/18/14 Page 3 of 3