RE" AZNT the dirty bastards-> Published by Glasser LegalWorks       Securities Regulation and the Internet @ CyberSecuritiesLaw™ 
  JASON AWAD & ASSOCIATES 
  ROBERT S. QUALEY, ESQ. 
  Nevada Bar No. 3570 
  4386 S. Eastern Avenue 
  Telephone (702) 732 4141 
  Las Vegas, NV 89119 
  Attorney for Plaintiff 
  UNITED STATES DISTRICT COURT 
  DISTRICT OF NEVADA 
  AMAZON NATURAL TREASURES, INC., a Nevada Corporation,    
  Plaintiff 
    
  vs. 
  JANICE SHELL, DEAN DUMONT, D. TOD PAULY, JEFFREY MITCHELL, CYNTHIA DEMONTE, DEMONTE & ASSOCIATES, a New York corporation, SILICON INVESTOR, a Delaware corporation, RAGING BULL, a Delaware corporation, JOHN DOE NO. 1 A/K/A/ CARLW DOES I through CXIII, and BLACK CORPORATIONS I through XX, Inclusive, 
    
  Defendants 
   Case No.:CV-S-00-0158-PMP-RLH  COMPLAINT FOR DEFAMATION,LIBEL, AND TORTIOUS INTERFERENCE 
  APPLICATION FOR TEMPORARY RESTRAINING ORDER, AND MOTION FOR PRELIMINARY INJUCTION    
  COMES NOW, Plaintiff AMAZON NATURAL TREASURES, INC. ("AMAZON", the "Company" or the "Plaintiff"), a Nevada Corporation, by and through its Attorney ROBERT S.QUALEY, ESQ. and brings its COMPLAINT and causes of action, as more fully set forth herein, against the Defendants above-named JANICE SHELL, DEAN DUMONT, D. TOD PAULY, JEFFREY MITCHELL, CYNTHIA DEMONTE, DEMONTE & ASSOCIATES, a New York corporation, SILICON INVESTOR, a Delaware corporation, RAGING BULL, a Delaware corporation, JOHN DOE NO. 1 A/K/A/ CARLW DOES, I through CXIII, and BLACK CORPORATIONS I through X, Inclusive, (collectively the Defendants) and alleges:
  NOTICE OF MOTION FOR PRELIMINARY INJUNCTION 
  AND APPLICATION FOR TEMPORARY RESTRAINING ORDER 
  TO:      JANICE SHELL, Defendant 
              DEAN DUMONT, Defendant 
              D.TOD PAULY, Defendant 
              JEFFREY MITCHELL, Defendant 
              CYNTHIA DEMONTE, Defendant 
              DEMONTE & ASSOCIATES, Defendant 
              SILICON INVESTOR, Defendant 
              RAGING BULL, Defendant 
              JOHN DOE NO. 1, a/k/a CARLW, Defendant 
  YOU WILL PLEASE TAKE NOTICE, the undersigned will bring the foregoing MOTION FOR PRELIMINARY INJUNCTION and APPLICATION FOR TEMPORARY RESTRAINING ORDER, hereinafter contained, before the above-entitled court, on for hearing on the __________ day of___________, 2000, at the hour of_________ m., in Courtroom No.__________ of the United states District Courthouse 
  Or as soon thereafter as counsel may be heard. 
  DATED this ______ day of January, 2000. 
  LAW OFFICES OF JASON AWAD & ASSOCIATES 
  _______________________ 
  ROBERT S. QUALEY, ESQ. 
  Nevada Bar No. 3570 
  4386 S. Eastern Avenue 
  Las Vegas, NV 89119 
  Telephone (702) 732 4141 
  Attorney For Plaintiff 
  APPLICATION FOR TEMPORARY 
  RESTRAINING ORDER AND MOTION FOR 
  PRELIMINARY INJUNCTION 
  Comes Now, Plantiff AMAZON NATUREAL TREASURES, INC., by and through its attorney, Robert S. Qualey, ESQ., and moves this Honorable Court for the issuance of a Temporary Restraining Order and Preliminary Injunction, restraining and enjoining Defendants, above-names, from engaging the malicious and unlawful acts, as will be set forth more fully herein and hereafter, in the application for temporary injunction, motion for preliminary injection, and the complaint.: 
  This Motion is made and based upon the points and authorities, files, papers, and pleadings herein, as well as the testimony to be adduced at the time of heading hereof. 
  DATED this _________day of January, 2000 
  By: ROBERT S. QUALEY, ESQ. 
  4386 S. Eastern Ave 
  Las Vegas, Nevada 89119 
  Attorney for Plaintiff 
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