用于最后通牒的起诉书样本(言必行,行必果)

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用于最后通牒的起诉书样本(言必行,行必果)

IN THE UNITED STATES DISTRICT COURT

FOR THE DISTRICT OF COLUMBIA

___________________________________ * China Promotion (USA), Inc. * 111 Nowhere Lane S.W. * Civil Action No. 00002 Washington, D.C. 11111 * Plaintiff *

v. *

*

Campaign Office of Candidate Gush * 111 Happy Road * Washington, D.C. 11112 * Defendant * ___________________________________*

COMPLAINT FOR MONEY DUE AND OWING



COMES NOW the Plaintiff into court, by and through counsel, Deguang Zhang, Esq., and states the following as and for its Complaint:

1. Jurisdiction of this Honorable Court is founded upon Title 11, District of Columbia Code, Section 921 as amended (1981 ed.).



2. Defendant, Campaign Office of Candidate Gush, by and through Mr. Campaign

Director, owes Plaintiff USD $78,000.00, plus accrued interest of USD $7,814.00, on an account in arrears for fees and expenses associated with Mr. Candidate Gushs campaign for the Office of Sino-U.S. Relationship between March 2005 and June 2005.



3. Despite repeated demands, Defendant has failed and refused to pay Plaintiff.

4. The terms of the account as set forth on exhibit A, attached hereto, provide for finance charges of 1.5% a month (18% per annum) on all invoices not paid within 30 days and attorneys fees in the amount of 50%.



WHEREFORE, the premises considered, Plaintiff prays for judgment against Defendant in the principal amount of USD $78,000.00, plus accrued interest of USD $7,814.00, reasonable attorney fees and costs.

DISTRICT OF COLUMBIA, SS;

Deguang Zhang, being first duly sworn, deposes and says that he is an agent of the


Plaintiff with the authority to verify this Complaint and that the foregoing is a just and true statement of the amount due and owing to Plaintiff exclusive of all set-offs and just grounds of defense. ______________________ Deguang Zhang

Subscribed and sworn before me this 16th day of June, 2006. _______________________ Notary Public, D.C. Respectfully submitted, Zhang, Wang & Lee, L.L.P. ______________________________________ Deguang Zhang, D.C. Bar No. 1234567 Attorney for Plaintiff 666 East Changan Boulevard

Beijing 100001, China 010-1234-5678






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