4. In reply to paragraph 3(1)(e) of the Petition, the 2” Respondent avers:
(a) That it is not true that it (the 2” Respondent) failed to efficiently compile maintain and up-date the National Voters’ Register or the Voters Rolls for Constituencies and Polling Stations and further that it has no knowledge of the allegations that dead people’s names and names of the people who ought not to vote in Uganda remaining on the Register while several persons who were eligible voters had their names omitted from the Register and Rolls as alleged.