Cm Arg V Cyberlux Durham Nc Exhibit 3
1. Plaintiff is a limited liability company organized under the laws of the State of North Carolina and doing business in North Carolina, with a registered agent and office located in North Carolina.
DISTIL analysis
- ARG Group secured $79 million DoD contract for Cyberlux K8 drones, resulting in $39 million upfront payment to Cyberlux
- Distribution agreement entitled ARG to 20% discount off GSA pricing and 20% of sales proceeds
- Cyberlux delivered $15 million in products during 2023 but retained $23 million in advance payments as of December 31, 2023
- ARG alleges it performed substantial business development work beyond simple distribution, functioning as effective business partner
- Complaint seeks damages exceeding $25,000 plus treble damages under North Carolina Unfair and Deceptive Trade Practices Act
Extracted text
10 pages · 15827 charactersSTATE OF NORTH CAROLINA COUNTY OF DURHAM THE ARG GROUP, LLC,
v.
CYBERLUX CORPORATION,
Plaintiff, ) ) ) ) ) Defendant. ) )
IN THE GENERAL COURT OF JUSTICE SUPERIOR COURT DIVISION
) )
25CV004246-310
COMPLAINT
NOW COMES Plaintiff, THE ARG GROUP, LLC ("ARG" or "Plaintiff"), complaining of the Defendant, CYBERLUX CORPORATION ("Cyberlux" or "Defendant") and alleges the following:
office located at 160 Mine Lake Ct, Ste 200, Raleigh, North Carolina 27615, and principal office located at 800 Park Offices Dr, Suite 3209, Research Triangle Park, North Carolina 27709.
supply Defendant K8 Unmanned Aircraft Systems, resulting in Defendant receiving $39 million in upfront payment upon execution of the contract, delivering $15 million in product during 2023, and retaining $23 million in advance payments as of December 31, 2023.
breach of the parties' agreement.
well-understood expectation that Defendant would provide fair and reasonable compensation in exchange for the benefits received.
Plaintiff, and Plaintiff's efforts directly enabled Defendant to generate revenue and grow its business operations.
belonging to Plaintiff.
WHEREFORE, Plaintiff respectfully prays this honorable Court grant the following relief:
the Court may deem appropriate.
This the 24th day of April 2025.
ANDERSON JONES, PLLC
/s/ Christian Lunghi CHRISTIAN LUNGHI NCSB #60978 Post Office Box 20248 Raleigh, NC 27619 Phone: (919) 277-2541 Fax: (919) 277-2544 clunghi@andersonandjones.com Attorney for Plaintiff
Original source file
- File
- cm-arg-v-cyberlux-durham-nc-exhibit-3.pdf
- Source UID
- source:1e64014a119888cec958ad3bc0fce9e80dfe3254b54ac6ad03283a9d534a0089
- Full SHA-256
- 1e64014a119888cec958ad3bc0fce9e80dfe3254b54ac6ad03283a9d534a0089