AL'JIHAD : MESSENGERS (Angels & Devil) IN THE SKY (Captured Picture) AL'JIHAD Seventh Edition - Coker College copy - Page 390

Products, Inc., for its Answer to Plaintiff's Complaint, states as follows: 10. The allegations contained in the unnumbered paragraph located directly above Paragraph 1of the Complaint appear to constitute conclusions of law to which no responsive pleading is necessary. If, however, a response is required, then L'Oreal denies the allegations contained in the unnumbered paragraph located directly above Paragraph 1of the Complaint. ANSWER TO DEFENDANT AND PARTIES: 11. L'Oreal is without knowledge or information sufficient to form a belief as to the truth of the allegations contained in the first sentence of paragraph 1 of the Compliant and therefore denies the same. The remaining allegations contained in paragraph one of the Complaint do not appear to be directed at L'Oreal and, therefore, no response is required. If, however, a response is required, then L'Oreal denies all remaining allegations contained in paragraph 1of the Complaint. 12. Plaintiff, Imam H. S. Mahdi (Pro Se), present proof and/or evidence that Defendant and/or L’Oreal USA, Inc. are practicing malice upon the UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF OHIO EASTERN DIVISION. Defendant has documented untruths to the UNITED STATES DISTRICT COURT related to the identity of L’Oreal USA, Inc. Plaintiff-Imam Mahdi identified L’Oreal as L’Oreal USA, Inc. is connected to L’Oreal USA Products Inc., in which this is a true documentation. For, Plaintiff-Imam Mahdi has an old check-stub dated 09/25/01. The check-stub is material evidence that L’Oreal USA, Inc. is connected to L’Oreal USA Products, Inc. (see Exhibit – A, Section One, Page 6): L’Oreal USA “AL’JIHAD”– by, Imam Mahdi . © ® ™ : Of 842 Pages Is 390