Case 1:04-cv-00617-LTB-BNB
Document 43-3
Filed 07/28/2005
Page 1 of 2
PolyRock Technologies, LLC, v. General Steel Domestic Sales, LLC, et al.
EXHIBIT 2 to P L R C ' A N E R Q E TF RE T YO D F U T O Y O K S ME D D E U S O N R F E A L OF DEFENDANT KEVIN KISSIRE
Declaration of Bill Armstrong
EXHIBIT 2 04-cv-617-LTB-BNB
Case 1:04-cv-00617-LTB-BNB
Document 43-3
Filed 07/28/2005
Page 2 of 2
IN THE UNITED STATES DISTRICT COURT DISTRICT OF COLORADO
Civil Action No. 04-cv-617 (LTB) (BNB) POLYROCK TECHNOLOGIES, LLC, a Colorado limited liability company, Plaintiff, v. GENERAL STEEL DOMESTIC SALES, LLC, et al., Defendants.
DECLARATION OF BILL ARMSTRONG IN SUPPORT OF P L R C ' REQUEST O Y O KS FOR ENTRY OF DEFAULT AGAINST DEFENDANT KEVIN KISSIRE
I, Bill Armstrong, declare under penalty of perjury as follows: 1. I am a private process server in the State of Texas. On June 23, 2005, I
personally served Kevin Kissire in this action by delivering the Summons and Complaint to him at his residence located at 1915 Clubview Drive, Rockwall, Texas, 75087. 2. Mr. Kissire was visibly older than 18 years old. Nothing about the
circumstances under which Mr. Kissire was served indicated that he was in military service or incompetent. Mr. Kissire was not served on a military base nor did he state that he was in the military. Based upon these facts, I concluded that Mr. Kissire is not in military service. I declare under penalty of perjury under the laws of the United States of America that the foregoing is true and correct.
Executed on July 28, 2005.
s/ Bill Armstrong Bill Armstrong