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Exhibit G1 Defendant's Objections to Plaintiff's Third Request for Admissions ‘one mane ‘saat sree sauna Pera en, GA 2080 crocs IN THE SUPERIOR COURT FOR THE COUNTY OF COBB STATE OF GEORGIA CHRISTOPHER MOSES PLAINTIFF, Civil Action File: vs. No, 05-1-8395-35 TRATON CORP., end | RICK FOSTER sets | | DEFENDANTS. COMES NOW Defendant Traton Corp (hereinafter referred to as “Defendant"), by and i through its counsel of record, and hereby| responds and objects to Plaintiff's Third Request for Admissions as follows: 1 In response to Request for Admissions No. 1, Defendant denies the allegations contained therein. | is | In response to Request for Admissfons No. 2, Defendant lacks sufficient knowledge to admit or deny the allegations contained in this request, and accordingly, the allegations stand ‘ denied. The corporate documents, which are in the process of being produced to the Plaintiff will accurately reflect the current status of'the officers of Traton Corp. and Poston Properties, Inc, | | oon ana pesoue sree et Lab Parr pero) mya ‘nec7 mee a i {n response to Request for Admissions No. 3, Defendant lacks sufficient knowledge to || admit or deny the allegations contained in this request, and accordingly, the allegations stand denied. The corporate documents, which are in the process of being produced to the Plaintiff will accurately reflect the current status of the officers of Traton Corp. and Poston Properties, 4. In response to Request for Admissions No. 4, Defendant lacks sufficient knowledge to ‘admit or deny the allegations contained in this request, and accordingly, the allegations stand denied. The corporate documents, which are in the process of being produced to the Plaintiff | will accurately reflect the current status ofthe officers of Traton Corp. and Poston Properties, Inc. | Heese In response to Request for Admissions No. 5, Defendant lacks sufficient knowledge to ‘admit or deny the allegations contained in|this request, and accordingly, the allegations stand denied. The corporate documents, which hein te process of being produced to the Plaintiff will accurately reflect the current status ofithe officers of Traton Corp. and Poston Properties, i Inc. ! "6 In response to Request for Adaiajons No. 6, Defendant lacks sufficient knowledge to admit or deny the allegations contained inthis request, and accordingly, the allegations stand } denied. The corporate documents, which are in the process of being produced to the Plaintiff i Page 2 |

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