This addendum provides critical evidence of attorney Bryan Tipp's professional negligence in failing to recognize, address, and counter demonstrably false statements and perjury contained in E'Lise Chard's June 12, 2018 Petition for Temporary Order of Protection. The attached document contains multiple fabricated statements that directly contradict established facts, court records, and E'Lise Chard's own sworn testimony, yet Mr. Tipp failed to develop any legal strategy to address this systematic manipulation of the legal system.
Mr. Tipp's failures constitute violations of Montana Rules of Professional Conduct 1.1 (Competence), 1.3 (Diligence), and 3.1 (Meritorious Claims and Contentions) through his inexcusable failure to counter demonstrable perjury that formed the basis for continued prosecution and civil rights violations against his client.
False Statement in Petition: "I have known Elvis Nuno approximately 3 years. I did not know him prior to his relationship with my twin sister, Danielle Chard."
Documented Reality: E'Lise and Mr. Nuno first met in late 2001 during high school when she made a single hostile statement "I hope you know I'm obligated to hate anyone my sister dates." Their total interaction history consists of:
Evidence Available to Tipp: Mr. Nuno provided detailed timeline documentation showing the minimal contact history, yet Tipp failed to use this to establish E'Lise's lack of personal knowledge and credibility.
False Statement in Petition: "Throughout the past several years, Elvis has threatened to try to get my children removed from my care, verbally stated that 'when Danielle and I get back together, she'll never see you again' and that I am the 'most disgusting person on the face of the earth.'"
Documented Reality: