撤銷缺席判決的動(dòng)議 IN THE SUPERIOR COURT FOR THE DISTRICT OF COLUMBIA Civil Division Holy International, Inc. * 51 Iraq Street, Suite 1000 * Chicago, IL 30012 * Plaintiff * Case No. CA 0001-04 Vs. * Calendar #12 China Import & Export Corporation * Judge Clir 111 Fuxing Road * Beijing, China 100014 * Defendant * DEFENANT’S MOTION TO SET ASIDE DEFAULT JUDGMENT COMES NOW the Defendant, China Import & Export Corporation, by and through its attorneys, Chang, Wong & Lee, and requests that this Court set aside the Default Judgment entered against it on March 2, 2005, for the following reasons: 1. Defendant is a foreign corporation that up and until the present time has not been represented by counsel in the United States. 2. Defendant or its agent in the United States did not receive nor was informed of any of the documents previously filed by Plaintiff with the court; therefore, Plaintiff failed to effectuate lawful Service of Process on Defendant. 3. In effectuating service on Defendant, delivery was made to a wrong person at a wrong address next to the Defendant’s place of business in China. (See Affidavit of Defendant, marked Exhibit “A,” attached hereto and incorporated by reference.) 4. Defendant has a meritorious answer and defense to Plaintiff’s Complaint and has filed herewith his verified answer. WHEREFORE, Defendant respectfully requests this court to set aside the Default Judgment and allow Defendant to file the Verified Answer attached hereto. Respectfully submitted, Chang, Wong & Lee, P.C.
M. Lee, Esq. Attorneys for Defendant China Import & Export Corporation 666 West Main Boulevard Washington, D.C. 20001 (202) 123-5678 CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and accurate copy of the foregoing Motion to Set Aside Default Judgment, and accompanying Memorandum of Points and Authorities in support thereof and Proposed Order were mailed first class, postage prepaid this ______ day of May, 2005 to the parties listed below: Dick B. Chiney, Esq. Attorney for Plaintiff 567 Putnam Parkway Suite 112 Chicago, IL 30001 _____________________ Robert M. Lee, Esq. Attorneys for Defendant China Import & Export Corporation
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