MEDINAH MINERALS, INC. (MDMN): SECOND JUDICIAL DISTRICT COURT OF THE STATE OF NEVADA
CASE NO. CV00-00844 DEPT. NO. 4
IN THE SECOND JUDICIAL DISTRICT COURT OF THE STATE OF NEVADA IN AND FOR THE COUNTY OF WASHOE
MEDINAH MINING, INC., a Nevada corporation; LES PRICE, an individual; and LARRY REGIS, an individual,
Plaintiffs,
vs. FIRST AMENDED COMPLAINT
MICHAEL MENZIES, an individual; BENJAMIN HOWE, an individual; CHRISTIAN AMUNATEGUI, an individual, DOES 1-20; BLACK CORPORATIONS 1-20,
Defendants. __________________________ /
COME NOW Plaintiffs, and as and for a Complaint against Defendants, alleges as follows:
GENERAL ALLEGATIONS
1. Plaintiff Medinah Mining, Inc. (.Madinah.) is a corporation duly organized and validly existing under the laws of the State of Nevada which, at all times pertinent hereto, conducted business in Washoe County, Nevada.
2. Plaintiffs Les Price and Larry Regis are individuals who are officers and directors of Plantiff Medinah.
3. Defendant Michael Menzies is an individual who, at all times pertinent hereto, subjected himself to the jurisdiction of Washoe County, Nevada.
4. Defendants Benjamin Howe and Christian Amunategui are individuals who, at all times pertinent hereto, subjected themselves to the jurisdiction of Washoe County, Nevada.
5. Plaintiffs do not know the true names or capacities of the Defendants sued herein as DOES 1-20 and BLACK CORPORATION 1-20. Therefore, Plaintiffs sue said Defendants by fictitious names. Plaintiffs are informed and believe, and therefore allege, that each of said Defendants is legally responsible for the claims for relief and the events and happenings referred to herein, and caused damages to Plaintiffs, as alleged herein.
6. At all times pertinent hereto, certain Defendants were the agents and/or employees of certain Co-Defendants and, in doing the things hereinafter alleged, were acting within the course and scope of such agency and/or employment and with the permission and consent of such Co-Defendants.
WHEREFORE, Plaintiffs pray for judgment as more particularly hereinafter set forth.
FIRST CLAIM FOR RELIEF
7. Plaintiffs reallege the allegations contained in paragraphs 1-6 hereof as though fully set forth herein.
8. Defendants intentionally and/or negligently published and communicated false and defamatory information concerning Plaintiffs through verbal, written and Internet communications to third persons, including, but not limited to, shareholders of Medinah. The Internet communication was directed, published and communicated to all users of the Internet throughout the world.
9. In the defamatory information, Defendants made comments relating to the integrity and business ethics of Plaintiffs.
10. Said comments were defamatory, per se, in that they imputed to Plaintiffs and the management of Medinah dishonesty and fraudulent conduct, as well as conduct incompatible with the business operations of a public company and Plaintiffs' conduct relating thereto. Said comments were also intended to influence investors and the trading of Medinah's common stock in the public markets.
11. Said comments were understood by third persons to be defamatory of Plaintiffs and proximately caused damages to Plaintiffs, and each of them.
12. As a direct and proximate result of such conduct, Plaintiffs have lost the ability and opportunities to arrange financing and otherwise conduct their business operations.
13. As a further direct and proximate result of such conduct, Plaintiffs have suffered general damages in a sum in excess of $50,000,000 U.S.
14. As a further direct and proximate result of such conduct, Plaintiffs have incurred special damages in a sum which has not yet been fully determined. Plaintiffs will seek leave to amend this Complaint to conform to proof at the time of trial. Plaintiffs are also entitled to temporary and permanent // injunctive relief to enjoin Defendants from engaging in the described conduct.
15. The conduct of Defendants was willful, wanton and malicious and Plaintiffs are, thereby, entitled to an award of punitive damages in a sum in excess of $100,000,000 U.S. from each defendant.
16. As a further direct and proximate result of the above- described conduct by Defendants, and each of them, Plaintiffs were required to employ the services of an attorney to prosecute this action and are entitled to an award of attorney's fees, costs and expenses incurred herein.
WHEREFORE, Plaintiffs pray for judgement as more particularly hereinafter set forth.
SECOND CLAIM FOR RELIEF
17. Plaintiffs reallege the allegations contained in paragraphs 1-16 hereof as though fully set forth herein.
18. Defendants knew of the contractual relationships which Plaintiffs had with respect to its business operations and properties in Chile.
19. The conduct of Defendants intentionally and/or negligently interfered with Plaintiffs' contractual rights.
20. As a direct and proximate result of said conduct, Plaintiffs have incurred general damages in a sum in excess of $50,000,000 U.S.
21. As a further direct and proximate result of Defendants' conduct, Plaintiffs have incurred special damages in a sum which has not yet been fully determined. Plaintiffs will seek leave to amend this Complaint to conform to proof at the time of trial.
22, The conduct of Defendants was willful, wanton and malicious and Plaintiffs are, thereby, entitled to an award of punitive damages in a sum in excess of $100,000,000 U.S. from each defendant.
WHEREFORE, Plaintiffs pray for judgement as more particularly hereinafter set forth.
THIRD CLAIM FOR RELIEF
23. Plaintiffs reallege the allegations contained in paragraphs 1-22 hereof as though fully set forth herein.
24. The conduct of Defendants constitutes intentional and/or negligent interference with prospective economic advantages to be realized by Plaintiffs in their business operations.
25. As a direct and proximate result of said conduct, Plaintiffs have incurred general damages in a sum in excess of $50,000,000 U.S.
26. As a further direct and proximate result of Defendants conduct, Plaintiffs have incurred special damages in a sum which has not yet been fully determined. Plaintiffs will seek leave to amend this Complaint to conform to proof at the time of trial.
27. The conduct of Defendants was willful, wanton and malicious and Plaintiffs are, thereby, entitled to an award of punitive damages in a sum in excess of $100,000,000 U.S. from each Defendant.
WHEREFORE, Plaintiffs pray for judgment as more particularly hereinafter set forth.
FOURTH CLAIM FOR RELIEF
28. Plaintiffs reallege the allegations contained in paragraphs 1-27 hereof as though fully set forth herein.
29. Defendants published false and misleading information relating to the Plaintiffs' ownership and operation of the subject properties in Chile and general business operations, and communicated such information to third parties with the intent that such third parties justifiably rely upon the false and misleading information, and third parties did so rely.
30. Defendants knew or should have known of the false and misleading nature of the information, and specifically, that statements made regarding Medinah, its management and operations were untrue, and that they did not possess proxies they represented to be validly held by them.
31. The conduct of Defendants constitutes intentional and/or negligent misrepresentation and/or fraud.
32. As a direct and proximate result of said fraudulent conduct, Plaintiffs have incurred general damages in a sum in excess of $50,000,000 U.S.
33. As a further direct and proximate result of Defendants' conduct, Plaintiffs have incurred special damages in a sum which has not yet been fully determined. Plaintiffs will seek leave to amend this Complaint to conform to proof at the time of trial.
34. The conduct of Defendants was willful, wanton and malicious and Plaintiffs are, thereby, entitled to an award of punitive damages in a sum in excess of $100,000,000 U.S. from each defendant.
WHEREFORE, Plaintiffs pray for judgment as more particularly hereinafter set forth.
FIFTH CLAIM FOR RELIEF
35. Plaintiffs reallege the allegations contained in paragraphs 1-34 hereof as though fully set forth herein.
36. The conduct of Defendants constitutes a slander of Plaintiffs' title in and to the subject properties.
37. As a direct and proximate result of said conduct, Plaintiffs have incurred general damages in a sum in excess of $50,000,000 U.S.
38. As a further direct and proximate result of Defendants' conduct, Plaintiffs have incurred special damages in a sum which has not yet been fully determined. Plaintiffs will seek leave to amend this Complaint to conform to proof at the time of trial.
39. The conduct of Defendants was willful, wanton and malicious and Plaintiffs are, thereby, entitled to an award of punitive damages in a sum in excess of $100,000,000 U.S. from each defendant.
WHEREFORE, Plaintiffs pray for judgment as more particularly hereinafter set forth.
SIXTH CLAIM FOR RELIEF
40. Plaintiffs reallege the allegations contained in paragraphs 1-39 hereof as though fully set forth herein.
41. The conduct of Defendants constitutes a conversion of proprietary right, data and information and has deprived Plaintiffs of their lawful use thereof.
42. As a direct and proximate result of said conduct, Plaintiffs have incurred general damages in a sum in excess of $50,000,000 U.S.
43. As a further direct and proximate result of Defendants' conduct, Plaintiffs have incurred special damages in a sum which has not yet been fully determined. Plaintiffs will seek leave to amend this Complaint to conform to proof at the time of trial.
44. The conduct of Defendants was willful, wanton and malicious and Plaintiffs are, thereby, entitled to an award of punitive damages in a sum in excess of $100,000,000 U.S. from each defendant.
WHEREFORE, Plaintiffs pray for judgment as more particularly hereinafter set forth.
SEVENTH CLAIM FOR RELIEF
45. Plaintiffs reallege the allegations contained in paragraphs 1-44 hereof as though fully set forth herein.
46. Defendants had a duty to deal fairly and in good faith with respect to Plaintiffs and their business and contractual rights and interests. The conduct of Defendants constitutes a breach of such duty.
47. As a direct and proximate result of said conduct, // Plaintiffs have incurred general damages in a sum in excess of $50,000,000 U.S.
48. As a further direct and proximate result of Defendants' conduct, Plaintiffs have incurred special damages in a sum which has not yet been fully determined. Plaintiffs will seek leave to amend this Complaint to conform to proof at the time of trial.
49. The conduct of Defendants was willful, wanton and malicious and Plaintiffs are, thereby, entitled to an award of punitive damages in a sum in excess of $100,000,000 U.S. from each defendant.
WHEREFORE, Plaintiffs pray for judgment as more particularly hereinafter set forth.
EIGHTH CLAIM FOR RELIEF
50. Plaintiffs reallege the allegations contained in paragraphs 1-49 hereof as though fully set forth herein.
51. The conduct of Defendants constitutes a tort of outrage.
52. As a direct and proximate result of said conduct, Plaintiffs have incurred general damages in a sum in excess of $50,000,000 U.S.
53. As a further direct and proximate result of Defendants' conduct, Plaintiffs have incurred special damages in a sum which has not yet been fully determined. Plaintiffs will seek leave to amend this Complaint to conform to proof at the time of trial.
54. The conduct of Defendants was willful, wanton and malicious and Plaintiffs are, thereby, entitled to an award of punitive damages in a sum in excess of $100,000,000 U.S. from each defendant.
WHEREFORE, Plaintiffs pray for judgment as more particularly hereinafter set forth.
NINTH CLAIM FOR RELIEF
55. Plaintiffs reallege the allegations contained in paragraphs 1-54 hereof as though fully set forth herein.
56. Defendants, and each of them, made threats of physical harm against, among others, Plaintiffs Price and Regis. Said conduct constitutes an assault.
57. As a direct and proximate result of said conduct, Plaintiffs have each incurred general damages in a sum in excess of $50,000,000 U.S.
58. As a further direct and proximate result of Defendants' conduct, Plaintiffs have each incurred special damages in a sum which has not yet been fully determined. Plaintiffs will seek leave to amend this Complaint to conform to proof at the time of trial.
59. The conduct of Defendants was willful, wanton and malicious and Plaintiffs are each, thereby, entitled to an award of punitive damages in a sum in excess of $100,000,000 U.S. from each defendant.
WHEREFORE, Plaintiffs pray for judgment as more particularly hereinafter set forth.
TENTH CLAIM FOR RELIEF
60. Plaintiffs reallege the allegations contained in paragraphs 1-59 hereof as though fully set forth herein.
61. The conduct of Defendants, and each of them, 'constitutes' negligence.
62. As a direct and proximate result of said conduct, Plaintiffs have each incurred general damages in a sum in excess of $50,000,000 U.S.
63. As a further direct and proximate result of Defendants' conduct, Plaintiffs have each incurred special damages in a sum which has not yet been fully determined. Plaintiffs will seek leave to amend this Complaint to conform to proof at the time of trial.
64. The conduct of Defendants was willful, wanton and malicious and Plaintiffs are each, thereby, entitled to an award of punitive damages in a sum in excess of $100,000,000 U.S. from each defendant.
WHEREFORE, Plaintiffs pray for judgment as more particularly hereinafter set forth.
ELEVENTH CLAIM FOR RELIEF
65. Plaintiffs reallege the allegations contained in paragraphs 1-64 hereof as though fully set forth herein.
66. The conduct of Defendants, and each of them, constitutes negligent and/or intentional infliction of emotional distress.
67. As a direct and proximate result of said conduct, Plaintiffs have each incurred general damages in a sum in excess of $50,000,000 U.S. // 68. As a further direct and proximate result of Defendants' conduct, Plaintiffs have each incurred special damages in a sum which has not yet been fully determined. Plaintiffs will seek leave to amend this Complaint to conform to proof at the time of trial.
69. The conduct of Defendants was willful, wanton and malicious and Plaintiffs are each, thereby, entitled to an award of punitive damages in a sum in excess of $100,000,000 U.S. from each defendant.
WHEREFORE, Plaintiffs pray for judgment as more particularly hereinafter set forth.
TWELFTH CLAIM FOR RELIEF
70. Plaintiffs reallege the allegations contained in paragraphs 1-69 hereof as though fully set forth herein.
71. The conduct of Defendants, and each of them, constitutes Unlawful, unfair and fraudulent business practices.
72. As a direct and proximate result of said conduct, Plaintiffs have each incurred general damages in a sum in excess of $50,000,000 U.S.
73. As a further direct and proximate result of Defendants' conduct, Plaintiffs have each incurred special damages in a sum which has not yet been fully determined. Plaintiffs will seek leave to amend this Complaint to conform to proof at the time of trial.
74. The conduct of Defendants was willful, wanton and malicious and Plaintiffs are each, thereby, entitled to an award of punitive damages in a sum in excess of $100,000,000 U.S. from each defendant.
WHEREFORE, Plaintiffs pray for judgment as more particularly hereinafter set forth.
THIRTEENTH CLAIM FOR RELIEF
75. Plaintiffs reallege the allegations contained in paragraphs 1-74 hereof as though fully set forth herein.
76. The conduct of Defendants, and each of them, constitutes an unfair trade practice under Nevada Revised Statutes, chapter 598.
77. As a direct and proximate result of said conduct, Plaintiffs have each incurred general damages in a sum in excess of $50,000,000 U.S.
78. As a further direct and proximate result of Defendants' conduct, Plaintiffs have each incurred special damages in a sum which has not yet been fully determined. Plaintiffs will seek leave to amend this Complaint to conform to proof at the time of trial.
79. The conduct of Defendants was willful, wanton and malicious and Plaintiffs are each, thereby, entitled to an award of punitive damages in a sum in excess of $100,000,000 U.S. from each defendant.
WHEREFORE, Plaintiffs pray for judgment as more particularly hereinafter set forth.
FOURTEENTH CLAIM FOR RELIEF 80. Plaintiffs reallege the allegations contained in paragraphs 1-79 hereof as though fully set forth herein.
81. Upon information and belief, Defendants, and each of them, entered into an agreement with one or more of the other Defendants to commit, and in furtherance thereof, did commit the acts set forth herein above. Said conduct constitutes a conspiracy.
82. As a direct and proximate result of said conduct, Plaintiffs have each incurred general damages in a sum in excess of $50,000,000 U.S.
83. As a further direct and proximate result of Defendants' conduct, Plaintiffs have each incurred special damages in a sum which has not yet been fully determined. Plaintiffs will seek leave to amend this Complaint to conform to proof at the time of trial.
84. The conduct of Defendants was willful, wanton and malicious and Plaintiffs are each, thereby, entitled to an award of punitive damages in a sum in excess of $100,000,000 U.S. from each defendant.
WHEREFORE, Plaintiffs pray for judgment as more particularly hereinafter set forth.
PRAYER FOR RELIEF
WHEREFORE, Plaintiffs pray for judgment against Defendants, and each of them, as follows:
1. For judgment in favor of Plaintiffs and against Defendants, and each of them, on all claims set forth herein.
2. For general damages in favor of Plaintiffs in a sum in excess of $50,000,000 U.S. from each Defendant.
3. For special damages according to proof at the time of trial. Plaintiffs will amend this Complaint to conform to proof at the time of trial.
4. For punitive damages in favor of Plaintiffs in a sum in excess of $100,000,000 from each Defendant.
5. For attorney's fees, costs and expenses incurred herein.
6. For a temporary and permanent injunction against Defendants.
7. For such other and further relief as the Court deems just and proper.
Dated this 25th day of February, 2000.
_______________________________
Michael J. Morrison, Esq., Attorney for Plaintiffs.
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**Disclaimer:
The complaint, CASE NO. CV00-00844 and filed IN THE SECOND JUDICIAL DISTRICT COURT OF THE STATE OF NEVADA IN AND FOR THE COUNTY OF WASHOE has been transcribed to the best of my ability. It may not be exactly 100% accurate, but extremely close.
United States District Court, District of Nevada. 400 S. Virginia St. Phone: (775) 686-5800
nvd.uscourts.gov
US District Court - Reno
nvd.uscourts.gov.
Staff Categories-Reno Washoe County
nvd.uscourts.gov.
**THE READER SHOULD VERIFY ALL CLAIMS AND DO THEIR OWN DUE DILIGENCE BEFORE INVESTING IN ANY SECURITIES MENTIONED. INVESTING IN SECURITIES IS SPECULATIVE AND CARRIES A HIGH DEGREE OF RISK. INVESTORS SHOULD INDEPENDENTLY VERIFY THE SECURITY MENTIONED IN THIS TRANSCRIPTION BEFORE MAKING ANY INVESTMENT DECISIONS. TIMING OF, AND ANY BUYING OR SELLING DECISIONS, ARE THE SOLE RESPONSIBILITY OF THE READER. news.stockmaster.com.
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