#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 1
PLEADING_START_FILE_MARKED
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
7/10/2025 1:09 PM DF-24-18010 NO. THE MARRIAGE OF § & RESERVATION OF RIGHTS Preservation of Evidence & Reservation of Rights Petitioner respectfully submits this packet and supporting materials for purposes of this emergency and procedural relief only. Petitioner affirms that all transcripts, summaries, and characterizations of audio, video, or law enforcement communications included herein are based on original recordings, messages, and documents lawfully obtained during the marriage or pursuant to standing access rights. Petitioner reserves the right t...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 2
PLEADING_BODY
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
...respectfully submits this supplemental notice to inform the Court of a critical change in circumstances directly impacting the Emergency Motion for Temporary On June 26, 2025, Petitioner received a formal Notice to Vacate for nonpayment of rent at the marital residence. Although Respondent, Gwen Ulijasz-McKemie, is the leaseholder and sole financial guarantor on the property, Petitioner has carried the full burden of housing costs since separation. Due to a recent hospitalization and worsening medical condition after being severed from all marital assets...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 3
PLEADING_BODY
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
...titioner is not seeking sympathy-only the opportunity to present the truth. Attached hereto as Exhibit A is a true and correct copy of the eviction notice dated June 26, 2025. Petitioner is available for in-person or remote appearance and respectfully requests expedited review and relief. Without immediate intervention, Petitioner will lose access to housing, medical stability, and meaningful participation in this proceeding. Respectfully submitted, Jason McKemie Pro Se Petitioner 5609 La Foy Blvd Dallas, TX 75209 (214) 868-4901 Jason@callvital.com 7 of...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 4
PLEADING_BODY
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
RESPONDENT'S STRATEGIC FINANCIAL DEPLETION AND ANTICIPATED RETALIATION Petitioner's Supplemental Notice of Eviction and Updated Medical Hardship In Support of Emergency Motion for Temporary Relief TO THE HONORABLE JUDGE OF THE 254TH DISTRICT COURT: Petitioner, Jason McKemie, appearing pro se, submits this supplemental notice in support of his escalation in circumstances. Statement of Clarification and Rebuttal to Mischaracterizations To the Honorable Judge of the 254th District Court: The narrative before this Courtis inaccurate and dangerously so. | am...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 5
EXHIBIT_START
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
...attomey already Address Changes No Address Changes Priority Changes No Priority Changes Alarm Level Changes No Alarm Level Changes - 3. Eviction Notice Received June 26, 2025 Petitioner was served with a formal Notice to Vacate the marital residence due to nonpayment of rent. Although Respondent, Gwen Ulijasz-McKemie, is the sole financial guarantor on the lease, Petitioner has carried 100% of the housing costs since separation. With no access to marital accounts or shared HSA funds, and after exhausting his personal resources while recovering from invas...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 6
EXHIBIT_CONTINUATION
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
...eated discovery obstruction He asks for the Court's consideration and understanding as he finalizes these submissions under extraordinary medical and financial distress. 10 of 174 Copy from re:SearchTX
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 7
EXHIBIT_CONTINUATION
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
7. Statement Regarding False Allegations of AirTag Surveillance Respondent has accused Petitioner of placing Apple AirTags on her person and property to track her movements. These accusations are categorically false. Respondent voluntarily turned over the AirTags in question to the San Antonio Police Department in early 2024. Upon review, SAPD subpoenaed Apple for registration data related to the devices. The response from Apple confirmed precisely what Petitioner had testified to under oath during the January 7 hearing: e The AirTags were installed betw...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 8
EXHIBIT_START
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
- Detective Vidal San Anotnio Police Department "Fusion" Department "Nothing points to you, alt - arrow point to her." [EXHIBIT V] Detective Vidal confirmed that records received from Apple support Petitioner's testimony: the Airlags found on Respondent's vehicle were registered to Respondent's Apple ID and iPhone, and were only trackable by Respondent-not by Petitioner or any third party.] 8. Evidence of Respondent's Misuse of AirTags and False Accusations Contrary to Respondent's repeated claims that Petitioner used Apple AirTags to track or surveil he...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 9
EXHIBIT_CONTINUATION
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
...mployee's ability to communicate on Laura McKemie From: Gwendolyn Ulijasz <gwendotyn.u' asz@accenture.cam> behalf of the company while being vetted. So how is at 1:03 PM 2025 9, Date: Thursday, January To: Brant Webb <brant@webbfami yiaw.com> she able to utilize her work email at that this time. Cc: Gwendolyn Laura Ulijasz McKemie Betty Villarreal What is the point of confiscating a laptop if the iviaw.com> <Bettv®webbfam Subject: RE: [External] filing of order from yesterday employee retains email capabilities elsewhere? The last 3 digits and BMW 340xi...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 10
EXHIBIT_START
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
14. In the January7 2025 hearing, Respondent stated that she had just given Petitioner $8,400. [Exhibit F] November 22, 2024 CHASEO October 23, 2024 through Account Number. 000000527878899 TRANSACTION AMOUNT BAL ance, DATE ATM Cash Deposk 11/12 2475 W Dallas TX Card 10.0 5,508.13 1112 4112 13 2.108, Transaction: Chk ...$898 To Traneter 11/12 Online 11612 1 4 311079474 PD Credit U Ch With Intouch VAS 1.363.59 183.10 04431261525, PPD Dot Mohela Mohela 1/18 08.583 977.06 ID: Uean PD 1418 Usa P&C Ror UTIL 003065544255 Web ID 9000000081 6305 922.88 23.70 Amz,...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 11
EXHIBIT_CONTINUATION
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
...cently gave Petitioner $8,400 They she had to borrow $7,000 from her sister to cover basic living expenses (Rent) and to replace her Electronics o Nov Dec 17, 2024 - $42,076 o Dec 17, 2024 - $49,891 16. Transactions of Respondents in the Months immediately prior to the Jan. 7 Hearing: 173 e $1,400,000 Annual Compensation Plan Exhibit e $198,000 Check for Nov 15-30 2024 Pay Period Exhibit K e $32,500 Monthly Salary Compensation Exhibit 173 e $92,000 in vested stock options exercised in Nov/Dec (CTSH) Exhibit 0 (pg 11) e $49,000 contribution to a Tradition...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 12
EXHIBIT_START
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
...ooking for it, the account would appear unchanged. [Exhibit O] : @. Judicial Deception: Coordinated False Testimony to Manufacture a Stalking Narrative At the January 7, 2025, hearing, Respondent and her sister, Pamela Woodman, presented coordinated testimony designed to manufacture a narrative of surveillance, intimidation, and stalking by Petitioner. Under oath, Mrs. Woodman testified that an off-duty police officer discovered a hidden listening device hidden in a plant at the marital residence. Her testimony was dramatic and calculated to mislead: Pam...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 13
EXHIBIT_START
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
Constituting Aggravated Perjury - A false statement, under oath, during an official legal proceeding that is also material to the proceeding. Gwen Ulijasz-McKemie (GLU): "How did you know, Pam, that there were listening devices, not being I an audio expert, and how do you know about what that was in the plant, not being a plant expert, if may." Pam Woodman: "There were some visible cameras in every room of the house. Some were hidden, | would estimate that there some were in plants. There were listening devices throughout the house. were dozens. Complete...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 14
EXHIBIT_CONTINUATION
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
19. STRATEGIC INTENT AND COLLAPSE BY DESIGN The audacity of Respondent's deception was no accident. It was rooted in the belief that Petitioner would never survive long enough legally, physically, or financially to expose the truth. Respondent buried Petitioner in household debt, quietly shifted hundreds of thousands of dollars in assets out of view before the end of 2024, and used the illusion of marital teamwork to manipulate him into facilitating his own financial ruin. Her plan was clear and executed with precision: emotionally manipulate Petitioner...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 15
EXHIBIT_CONTINUATION
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
And the damage didn't stop with him. As false police reports escalated, so did the fear within his family. Petitioner's family have been desperately waiting for an opening at memory care facility aligned with his father's current needs. Petitioner's father did not hesitate to help his son when Respondent abandoned him after his spinal surgery. Shortly after loaning this money, a unit in the memory care wing came available. A room they have waited a year for. Yet, the funds were not available for the deposit required within the 3 day window prior to the u...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 16
EXHIBIT_CONTINUATION
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
...ilable under Texas law against Pamela Woodman and Respondent Gwen Ulijasz-McKemie for their coordinated, knowingly false testimony presented under oath at the January 7, 2025, hearing. The perjured claims involving a fictitious surveillance device were not only material to these proceedings they directly resulted in the issuance of a fraudulent protective order that cut Petitioner off from financial relief, medical access, and legal counsel. Petitioner asserts that this single calculated act of perjury has been the primary driver of the catastrophic chai...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 17
EXHIBIT_CONTINUATION
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
...n evaluating Respondent's credibility, intent, and future compliance. 21. Claimed $7,000 Loan for Rent and Electronics Replacement Respondent testified at the January 7, 2025 hearing that she had to borrow $7,000 from her sister to cover basic living expenses, including rent and a replacement laptop. However, Petitioner was later provided with loan documentation which stated these loans were not initiated until after the January 7 hearing directly contradicting her sworn testimony. These lawns also were not in the amount of $7000 but we're in the amount...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 18
EXHIBIT_CONTINUATION
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
Meanwhile, she continues to portray herself as financially destitute relying on "sweetheart loans" with 2% interest and 30-year terms to fund her lifestyle, while undergoing elective cosmetic surgery at one of the most prestigious boutique clinics in Texas. At the same time Petitioner is unable to qualify for a single loan due to the marital debt he assumed debt incurred prior to being falsely accused, cut off from funds, and isolated by a protective order obtained through perjury. This contradiction reveals a clear strategy: Shift all household debt ont...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 19
EXHIBIT_CONTINUATION
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
Jason McKemie Pro Se Petitioner 539 W Commerce St, Ste 2010 Dallas, TX 75208 (214) 868-4901 jmckemie@mckemie.net 23 of 174 Copy from re:SearchTX
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 20
EXHIBIT_CONTINUATION
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
...Clarification... 6 Statement Regarding AirTags 7 Evidence of Respondent's Misuse of AirTags 8 False Claims of Financial Destitution... 9 Manipulated Deposits / Exhibit F 10 Transactions Before Jan 7th 11 Judicial Deception (Pam/Gwen) 12 STRATEGIC INTENT AND COLLAPSE BY DESIGN 13 Reservation of Rights 14 Request for Judicial Notice 15 Claimed $7,000 Loan 16 VEIP Contributions 17 PRAYER FOR RELIEF 18 24 of 174 Copy from re:SearchTX
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 21
EXHIBIT_START
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
...is notice, you are hereby given the following instructions: (Check the Appropriate Box) - NONPAYMENT. Within 3 days, the Landlord demands the total amount due: - June 1, 2025 Past Rent: $4,999.00 For the period of: Late Fees: ,499.90 Details: June 20,2025 - Other Fees: ¢ 300.00 Details: June 21,22,23,24,25,26 Total Amount Due: $5798,90 #5024342213 Wells Fargo ACC or Zelle Payment Instructions: office@skweresproperties.com If the above payment is not made within the required timeframe, the Tenant will be required to quit and deliver possession of the Prem...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 22
EXHIBIT_START
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
...nd necessary disbursements together with possible statutory damages as allowed by law for such unlawful detention. Shueres Properties LLG Landlord Signature: Date: 06.26.2025 Print Name: SKWERES PROPERTIES LLC Address: 651-8615 Telephone: (281 ) E-Mail: Jacquelineskweres @gmail.com Tskweres@gmail.com 26 of 174 Copy from re:SearchTX
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 23
EXHIBIT_CONTINUATION
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
...5, PLACE 1 § Defendant(s) § NOTICE OF HEARING SKWERES PROPERTIES LLC 4659 SPRUCE ST BELLAIRE TX 77401 The above case has been set for a EVICTION BENCH TRIAL on July 25, 2025 at 10:00 am at Justice of the Peace, Precinct 5, Place 1, located at 3443 St. Francis Avenue Dallas Texas 75228. Evidence may be submitted on cases prior to the hearing in the ways listed below. @ In person or commercial delivery e Bymail ISSUED on June 30, 2025 Siecle Lisle Clerk of the Court Justice Court Precinct 5, Place 1 3443 St. Francis Avenue Dallas Texas 75228 Court Phone:...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 24
EXHIBIT_CONTINUATION
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
a EVICTION CASE i hereby actrowedne the ccurt dale and # the Plant! CASE NO, JPC Wit 'a's rey War! of Prosecut: x PLAINTIFF Lord ordfOreperty Weme) Rented Subsidy (if any) DEFENGOANT(S): Tenant's Potion $ COMPLAINT: Plant?t(tacd ord] hereby complains the defendant(s] named above for ewchon of premises ( nc udiag storeroors asd parorg areas] located in the above precinct. Addresa of the property is 6 Street Address fany) City State Zip 1. SERVICE OF CITATION: Service is requested on defendants by pe-sonal serece at hore or worn or by altarnative service a...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 25
EXHIBIT_START
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
...3/15/25 $2,000.00 David Aron 3/15/01 $440.00 Late Charge Assessment $25.57 Jer av. cult $16,059.16 $5,824.47 Uncutequced INTOUCH CREDIT U NION - PAYMENT -$561.44 May 5, 2025 $18,059 15 Financial Relief Request Loans INTOUCH CREDIT U NION - PAYMENT -$561.44 Amount Fee's TOTALS Apt "3, c0zb $19,401.60 Rent June $5,798 $400 $6,198 Loans Rent july. $5,000 $500 $5,500 INTOUCH CREDIT U NION - PAYMENT -$561.44 Cash Relief $5,000 $5,000 Jars S, 2025 $19.£33.97 Car June $561 $25 $586 Loans Car tuly_ - _ $561 $561 INTOUCH CREDIT U NION - PAYMENT -$561.44 Medical...
#080
2025-07-10
Respondent / Jason
Motion - Continuance
Page 26
FILING_STAMP_OR_ESERVICE
FINANCIAL RELIEF, CONTIUANANCE, ENFORCEMENT OF STANDING ORDERS_AA8823DA.pdf
...ORDERS, PROTECTION AGAINST PROCEDURAL ABUSE, AND HEARING ON SPOUSAL SUPPORT, LEGAL FEE'S, MARITAL DEBT AND EARLY LOAN REPAYMENT DUE TO MEDICAL HARDSHIP Status as of 7/10/2025 2:10 PM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Kim Jones kjones@sullivancook.com 7/10/2025 1:09:08 PM SENT Jeffrey ECook jcook@sullivancook.com 7/10/2025 1:09:08 PM SENT Tiffany Castenada tcastenada@sullivancook.com 7/10/2025 1:09:08 PM SENT William CCook wcook@sullivancook.com 7/10/2025 1:09:08 PM SENT Ethan Scroggins escroggins@sullivancook.com 7/10/2025...