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VIRGINIA: GENERAL DISTRICT COURT OF THE CITY OF ALEXANDRIA Ilona Heckman (lawyer) Individually and As Trustee of The Ilona Ely Grenadier Heckman Revocable Trust FIRST REQUEST FOR ADMISSIONS Plaintiffs, vs. JANICE WOLK GRENADIER, Defendant DEFENDANT JANICE WOLK GRENADIER FIRST REQUEST FOR ADMISSIONS TO PLAINTIFF Case No. : CL 14 - 2185

Defendant pursuant to Rule 4:11 of the Rules of the Supreme Court of Virginia requests that Plaintiff (hereinafter referred to as Plaintiffs) to admit or deny next to the statement, for purposes of the pending action only, the truth of each of the following statements, and serve a copy thereof upon counsel for the parties within twenty-one (21) days from the date of service hereof: 1. That Plaintiff admits to being involved in the forged Amendment to the Sonia Grenadier Trust agreement Forged on or around November 30, 1983. 2. That Plaintiff admits to Albert Grenadier dying in or around March of1985 3. That Plaintiff admits to knowing the agreement was forged and not in full force and effect on or around April 5, 1983. 4. That Plaintiff admits to using Forged agreement to move Herman Grenadier 5. That Plaintiff admits to using Forged agreement to donate 3 of Herman Grenadiers places at King David 6. That Plaintiff admits to using the donation of Herman Grenadiers garden at King David for a tax deduction 7. That Plaintiff admits to misleading Defendant in the lack of funds available for the purchase of 28 E Bellefonte Ave. 8. That Plaintiff admits to misleading the Federal Bankruptcy court to the ownership of the funds for 28 E. Bellefonte Ave. 9. That Plaintiff admits to having the $30,000 note document that belongs to Defendante
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10. Plaintiff admits to putting zero down on the purchase of Southway Terrace. 11. Plaintiff admits to walking away with settlement from Southway Terrace with money. 12. Plaintiff admits that approx. $30,000. From defendants ownership in 28 E. Bellefonte went to pay down a note that was for Southway Terrace. 13. Plaintiff admits to knowing Loretta Miller. 14. Plaintiff admits to the collusion to harm Defendant. 15. Plaintiff admits to using an attorney that is not licensed in Virginia for the Liquidation Agreement of GIC. 16. Plaintiff admits to constructing a Settlement Agreement to manipulate and to the benefit of Plaintiff for Defendants divorce in or around February of 1998.. 17. Plaintiff admits to using the forged agreement in February of 1986 to put the Bristow Road property in Plaintiffs name. 18. Plaintiff admits in 1983 to receiving funds from the Bristow Road property 19. Plaintiff admits in 1985 to receiving funds from the Bristow Road property 20. Plaintiff admits in 1986 to receiving funds from the Bristow Road property

Dated this April 3, 2014


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Janice Wolk Grenadier 15 West Spring Street Alexandria, Virginia 22301 202-368-7178 Jwgrenadier@gmail.com

Certificate of Service I hereby certify that a true and accurate copy of the foregoing document was delivered on April 3, 2014 to Defendants attorney Ben DiMuro at DiMuroGinsberg PC 1101 King Street, Suite 610, Alexandria VA 22314. April 3, 2014 Janice Wolk Grenadier Pro Se

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