IRCP
Probably can, probably cannot - hmmmm. Can anyone through out a Statue number? I can't find it - thanks!
Then don't waste time by looking for something that does not exist.
Documents attached to a pleading are NOT trial exhibits. They are added for purpose of reference and to clarify, supplement and augment the pleader’s allegations. As such the are not subject to the rules of evidence!
If you have proof that the attached copies do not accurately reflect the substantive content of the original purpotedly “
signed” document or documents that the pleader represents them to be, or that such do not exist, then move to have them stricken.
Also, it seems to me that you are going to some length to avoid addressing the merits of the defendant’s counterclaim. Issues that you have noticeably neglected to disclose.
Whatever, just bear in mind that all the pleader is required to present to the court by way of complaint or counterclaim is:
“a short and plain statement of the claim showing that the pleader is entitled to relief”.” Rule 8(a)(2).
And if the documents that seem to be worrying you do exist and are shown to be relevant and authentic, the counter claimant will have no difficulty introducing them into evidence. Whether they are attached to the pleading or not.