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IN THE CIRCUIT COURT FOR THE FIFTH JUDICIAL CIRCUIT

VERMILLION COUNTY, DANVILLE IL

FILED Feb 14, 2001

JAMES F. OSTERBUR

PLAINTIFF

V.

ALIT SELIMI

DEFENDANTS

CASE 01-LM-16

MOTION TO STRIKE OR DISMISS

Now comes the defendant, alit selimi by his attorney, roy g. wilcox, and moves this court to strike or dismiss the complaint, pursuant to 2-615 of the code of civil procedure and for and in support thereof, states as follows:

    1. All pleadings are required to contain a plain and concise statement of the pleader=s cause of action, IL code of civil procedure 2-603 (a). The complaint fails to contain a plain and concise statement and is incoherent. It contains irrelevant and immaterial matters. Assuming this complaint is for breach of contract, damages for pain and suffering, aggravation and for plotting to do harm are not recoverable. If more than one cause of action is alleged, it must be in a separate count.
    2. Every complaint shall contain specific prayers for the relief to which the pleader deems himself or herself entitled. The complaint fails to contain a prayer for relief in violation of IL code of civil procedure 5/2-604.

WHEREFORE, defendant alit selimi, for the foregoing reasons prays that this court to strike or dismiss the complaint against this defendant.

By; law office of roy g. wilcox