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Fill and Sign the Amended Counterclaim Mississippi Form

Fill and Sign the Amended Counterclaim Mississippi Form

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IN THE CHANCERY COURT OF       COUNTY, MISSISSIPPI       and       vs. NO.             and       AMENDED COUNTERCLAIM The defendants,       ,       ,       , ("       "), and       ("       "), file their amended counterclaim as set of forth below: 23. The defendants hereby adopt, reaffirm, and incorporate all the allegations contained in the Counterclaim asserted in their Answer to Amended Complaint and Counterclaim. COUNT IV: BREACH OF CONTRACT 24. The defendants incorporate by reference the foregoing paragraphs. 25. Pursuant to the Contract made the subject of this suit, the plaintiffs purchased only those assets set forth of Exhibit "A" hereto. The assets plaintiffs did not purchase, as of       ,       , include, but are not limited to, third party receivables, CODs, NSF checks, Medicaid, petty cash on hand, out of date merchandise, credits and refunds for over - stocked merchandise, credit card receipts, prescription records, and cash and daily business through       ,       , of either       or       , nor did the plaintiffs purchase any assets of       . 26. The plaintiffs, jointly and severally, breached the Contract made the subject of this suit by failing to return to the defendants any assets of       and any monies they collected from third party receivables, or other assets not transferred to plaintiffs, for any transactions of either       or       prior to       ,       . 27. As a direct and proximate result of the plaintiffs' breach of Contract, the defendants have sustained real, actual, consequential, and resulting damages. COUNT V: BREACH OF CONTRACT 29. The defendants incorporate by reference the foregoing paragraphs. 30. The plaintiffs breached the contract made the subject of this suit by refusing to inform the defendants of any changes in the interest rate of their SBA loan. 31. On information and belief, as a direct and proximate result of the plaintiffs' breach of Contract, the defendants have sustained real, actual, consequential, and resulting damages. COUNT VI: EQUITABLE RELIEF 32. The defendants incorporate by reference the foregoing paragraphs. 33. Pursuant to the Contract made the subject of this suit, the plaintiffs did not purchase the original pharmaceutical formulas and hand written notes that belong to       and       . The plaintiffs have refused to return these formulas and hand written notes to the defendants the plaintiffs have also refused to return to the defendants certain business records that are required by law to be kept on the premises of       and       for a time certain. The time for which these records must be kept on the premises has expired. The plaintiffs have further continued to use the recorded voice of       for business purposes without authorization. 34. The plaintiffs should be ordered to return the original pharmaceutical formulas and hand written notes that belong to       and       to return the business records belonging to       and       to the defendants, and to cease using the recorded voice of       for any purpose. COUNT VII: RELIEF AS TO       35.       is an adult resident citizen of       County, Mississippi, who resides at       ,       , Mississippi. 36.       has loaned       and       the sum of $       . Pursuant to the Contract made the subject of this suit, the defendants purchased the account payables of       and       . The $       loaned to       and       by       was one of the account payables purchased by the defendants. Therefore, the defendants are liable for the debts incurred by       and       to       . RELIEF REQUESTED WHEREFORE, PREMISES CONSIDERED, the defendants respectfully request the relief requested in the Counterclaim asserted in their Answer to Amended Complaint and Counterclaim, and the following additional relief: (f) Compensatory, real, actual, consequential, and resulting damages for plaintiffs breach of Contract as asserted in paragraphs 24 through 31 herein. (g) The Court order the plaintiffs to return the original pharmaceutical formulas and hand written notes that belong to       and       to       and       , and further order to cease using       recorded voice for any purpose. (h) The Court order the plaintiffs to pay       the sum of $       for repayments of the loans as asserted in paragraphs 31 and 32. Respectfully submitted, _______________________________________       Attorney for       Of counsel:                         Telephone:       MSB #       Attorney for      

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