Friday 28 June 2013

Mobil Oil (Mark R. Ward) You Are Bound By Your Pleadings. Anti-Corrosive Vanguards- restated.


Mobil Oil (Mark R. Ward)
You Are Bound By Your Pleadings. 

Anti-Corrosive Vanguardsrestated. 

Pleadings of Mobil 

Oil Paragraph 54 (ii) Of Amended Statement Of Defence Of (MOBIL OIL) Dated 9th Of May, 2007. 


Mobil Oil Finally Confessed On Continuous Infringement Of My Invention




“At the date of the filing of the patent application by the 1st plaintiff (CCNL) in respect of the alleged paint/chemicals, the defendants (MOBIL OIL) were already conducting an undertaking in Nigeria with respect to the efficacy of the paints that will suit the defendants` oil (MOBIL OIL) pipelines, and as a result of the said undertaking, they (MOBIL OIL) were already manufacturing the paints and / or applying the process for the manufacture of the paints. Therefore, the defendants (MOBIL OIL) are entitled to apply and use those paints / chemicals in law.” 


PLEADINGS: Purpose of pleadings
ONUOHA NWOKOROBIA V. DESMOND UCHECHI NWOGU & ORS.
CITATION: (2009) LPELR-SC.291/2002


"It is settled law that litigation is fought on pleadings of the parties, as it forms the foundation from which it is developed and tackled to the stage of judgment. It is pleadings that form the basis of the plank of a case and the evidence that is adduced in support therefore. Hence the fulcrum of a case is derived from the pleadings and its success depends thereon, for pleadings that are bereft of the facts needed to prove a case, cannot be proved by evidence no matter how cogenti.e. parties are bound by their pleadings.
See Shell B.P. v. Abedi 1974 1 SC. 23, and Ebosie v. Phil-Ebosie 1976 7 SC. 119." 

Per MUKHTAR, J.S.C. (P. 17, paras. D-G) 

THE FOLLOWING QUESTIONS ARE EXPECTED TO BE ANSWERED BY MOBIL OIL IN THE RESPONDENT'S REPLY BRIEF.  FOR THE PAST 10 WEEKS, MOBIL OIL  IS AFRAID 
TO REPLY.     

ISSUES FOR DETERMINATION 

 (1) Whether in the final analysis, the case, and in particular, 
paragraph 29 (iii), (iv), (v), and (viii) of the amended statement of 
claim dated 20/11/2001 is statue barred?  

(2) Whether the infringement of the appellants` right was continuous to
 entitle them to compensation, damages or royalties from the respondent.

 (3) Whether from the totality of the pleadings of the respondent (then defendant), did the respondent deny and or successfully transverse the 
averment in paragraph 23 of the Appellants` (the plaintiffs) amended statement of claim sufficiently for the Appellant to be called upon to prove the continuous use of appellants` patented product by the
respondent?

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NAME: Yusuf Nurudeen (AAT, ACA)
POSITION: CCNL National Marketing Manager
OFFICE ADDRESS: CCNL Zonal Headquarters, Number 4, Ogudu Road,
Ojota, Lagos State.
MOBIL NUMBER: +2347032522248

(1) http://comandclemnewsupdate.blogspot.com/

(2) http://comandclemnewsupdate.blogspot.com/2013/06/court-orders-mobil-to-pay-834m.html

(3) http://comandclemnewsupdate.blogspot.com/2013/06/once-in-lifetime-investment-opportunity.html


(4) http://comandclemnewsupdate.blogspot.com/2013/06/comandclem-nigeria-limited.html


(5) http://comandclemnewsupdate.blogspot.com/2013/06/the-official-report-of-legal_8.html
(6) www.comandclem.org/forum/index.php?topic=3.32
(7) www.comandclemonline.com/forum/index.php?
(cool www.facebook.com/COMANDCLEMNIGERIALIMITED
(9) FACEBOOK NAME: COMANDCLEM PATENTEES















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