#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 1
PLEADING_START_FILE_MARKED
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
7/11/2025 11:53 PM DALLAS CO., TEXAS COURT IN THE MATTER OF THE MARRIAGE OF AND DECLARATION OF CHRISTINA SEGURA IN SUPPORT OF JASON MCKEMIE My name is Christina Segura, and my date of birth is December 24, 1974. I am over the age of 18 and competent to make this declaration. I have personal knowledge of the facts stated herein, and they are true and correct to the best of my knowledge. I've known Jason McKemie for nearly ten years we met as neighbors in Victory Park, and years later when a townhome opened up next door to us, we became neighbors for a sec...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 2
PLEADING_BODY
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
What she's doing is not reactive it's intentional. It is cruel. It is wrong on a scale that is hard to convey. And the only conclusion left is the one no one wants to say out loud: she appears to enjoy causing harm. There is no other explanation that fits what we're witnessing. I saw the toll this took on Jason in late 2024. He told me Gwen had stopped her psychiatric medications before their Costa Rica trip but promised to resume after. She didn't. On November 16, we were supposed to attend a concert together. Gwen didn't come. Jason arrived alone. He a...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 3
PLEADING_BODY
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
Affidavit of Witness Statement Elizabeth Bender To the Court: My name is Elizabeth Bender, and I served as the officiant in the wedding of Jason McKemie and Gwendolyn Ulijasz-McKemie. I've known Jason personally for nearly a decade, and during their relationship, I spent regular time with both him and Gwen as a friend, a confidant, and someone they trusted. Jason has always been someone who takes personal responsibility seriously. He's hardworking, honest, and deeply self-reflective. He owns his mistakes, gives more than I know without hesitation he rece...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 4
PLEADING_BODY
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...seriously. He believed in the partnership. Later, when | learned that Gwen had characterized the marriage as a six-month marriage as she reportedly did in the January 7, 2025, hearing - I was genuinely shocked. That statement doesn't reflect the reality witnessed. Their relationship and commitment stretched far beyond that, and I was present for meaningful milestones | have no idea who that version of Gwen is who long before that six-month window. would deny what I clearly saw. In my view, Jason made his decisions in good faith, based on what Gwen was |...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 5
PLEADING_BODY
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
DF-24-18010 NO. THE MARRIAGE OF § § MCKEMIE & § REQUEST FOR EMERGENCY HEARING TO PREVENT EVICTION DURING MEDICAL HARDSHIP Petitioner Jason McKemie respectfully files this Request for Emergency Hearing and states the following: TO THE HONORABLE JUDGE OF THE 254th DISTRICT COURT: Petitioner is facing an active eviction process during a period of ongoing medical hardship and is without access to critical financial or legal resources. Immediate intervention is required to prevent irreparable harm. Exhibit C If Petitioner does not receive this hearing, he wil...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 6
PLEADING_BODY
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
After learning of Petitioner's hospitalization in June 2025, Respondent cancelled the HSA card immediately after a $41 prescription was successfully charged. This cancellation prevented Petitioner from obtaining the remainder of his prescribed medication, including life-critical antibiotics. This act is part of a broader pattern of obstructing Petitioner's access to healthcare and community assets - including previously reporting as fraudulent a legal retainer and medical equipment purchase following spinal surgery. The documentation supporting this patt...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 7
EXHIBIT_START
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
available date; 2. Consider narrowly tailored temporary financial relief sufficient to prevent eviction bring rent current and cover medical copays to ensure continuity of medical care; and 3. Permit Petitioner to reserve all rights to seek further relief, including attorney's fees and modification of prior orders, following the emergency hearing. This motion is made in good faith and under urgent, life-altering circumstances. Petitioner is not seeking delay, but survival and a fair opportunity to participate in this matter with counsel as originally int...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 8
EXHIBIT_START
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...efore the Court. In reality, she has been diverting over $130,000 per year into a VEIP equity plan that yields a 50% in-year return. These contributions began in January 2025, after standing orders were entered, and appear to violate prohibitions against speculative or penalty-bearing investments during litigation. In addition, Respondent has accepted "loans" from her billionaire sister at 2% interest over 30 years. Despite repeated requests, she has refused to produce documentation of any wire transfers or related account records. These funds have repor...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 9
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
Respondent is not new to litigation. She has reportedly spent $80,000-$100,000 annually 7 had no fewer than six attorneys from Sullivan & for the past three years, and on January Cook listed in the docket, alongside a $24,000 risk mitigation firm retained to shape her protective order strategy. By contrast, Petitioner is pro se, financially severed, and medically vulnerable. The imbalance is severe and demands judicial scrutiny. motion to withdraw citing non-payment. Respondent failed to declare herself pro se and became unreachable, making service impos...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 10
EXHIBIT_START
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
Exhibit A Friday, July 11, 2025 at 3:29:30 PM Central Daylight Time Subject: Urgent: Rent Payment Request (Notice to Vacate Attached) Date: Thursday, June 26, 2025 at 8:53:24 PM Central Daylight Time From: Jason McKemie To: Gwen McKemie cc: Gwen Laura Ulijasz McKemie, Ethan Scroggins, Jason McKemie, 9174711979@vtext.com, 9174711979@vzpix.com, 2102786377@vtext.com, 2102786377@vzpix.com Priority: High Attachments: Rent Request 06-26-2015.pdf Gwen, Please see the attached letter regarding the current rent balance and upcoming housing needs. I'm requesting y...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 11
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
Jason McKemie 5609 La Foy Bivd Dallas, TX 75209 Jason@callvital.com 214) 868-4901 June 26, 2025 Gwendolyn Ulijasz 11703 Huebner Rd PMB 106 San Antonio, TX 78230 qulijasz@qmail.com, gwendolyn.ulijasz@accentue.com Subject: Immediate Demand for Rent Payment - 5609 La Foy Blvd Lease Dear Gwen, I'm writing to notify you that | received a formal Notice to Vacate today regarding the Dallas residence at 5609 La Foy Blvd. The total amount due is $5,798.90, which includes unpaid June rent, late fees, and penalties. Payment is required within three (3) days to prev...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 12
EXHIBIT_START
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
EXHIBIT B Petitioner's Email to Ethan Scroggins (Lead Counselfor Respondent's Six-Attorney Team at Sullivan & Cook) Requesting Hearing Availability, Followed by His Midnight Friday Reply Without Dates This email demonstrates Petitioner's good-faith effort to notify opposing counsel of his intent to request emergency relief and to coordinate hearing dates in a professional and courteous manner. Despite urgent circumstances including a pending eviction Respondent and her counsel failed to respond or offer any assistance. This non-response continues a patte...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 13
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
From: Jason McKemie <jmckemie@mckemie.net> Date: Saturday, July 12, 2025 at 12:17 AM To: Ethan Scroggins <escroggins@sullivancook.com> Ce: "wcook@sullivancook.com" <wcook@sullivancook.com>, Chandler Alt <calt@sullivancook.com> Subject: Re: DF-24-18010; McKemie Mr. Scroggins, I did not unilaterally schedule a hearing. | offered your office multiple dates and requested your availability in writing. You did not respond. That procedural courtesy is documented in the emergency filing submitted this morning. Your firm withdrew from this case due to nonpayment,...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 14
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
Mr. McKemie, You cannot unilaterally select dates for a hearing. | We have final trial on July 23, 2025. See our attached exhibit list and witness list as required by the scheduling order. did not see your email today (July 11, 2025) containing your exhibit list or witness list as required by court order. Same goes for an amended inventory and appraisement which we also attached. We will not ignore your failure to follow the scheduling order regarding these items. Sincerely, ETHAN SCROGGINS Sullivan & Cook LLC Attorney 600 East Las Colinas Bled, Suite 13...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 15
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...ing. | appreciate your prompt response if you're able to provide it. This notice is sent in good faith. Best regards, Jason McKemie (214) 868-4901 jmckemie@mckemie.net 3 11 of 21 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 16
EXHIBIT_START
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...Eviction Notice and Petitionfor Eviction COURT DOCUMENT SUMMARY: Petitioner is facing imminent removal from the marital residence. The hearing is scheduled for July 25, 2025, just two days after trial is currently set to begin. Although Petitioner is listed as a tenant, he is not the financial guarantor on the lease. He never agreed to carry the lease independently and was encouraged by Respondent to pursue a non-salaried equity position while she maintained sole financial responsibility. This document proves that housing loss is imminent and urgent jud...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 17
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.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...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 18
EXHIBIT_START
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
Exhibit C TEXAS EVICTION NOTICE (NOTICE TO QUIT) Date: June 26 , 2025 This notice is sent to Jason McKemie ("Tenant") and further directed to all residents, occupants, subtenants, and any others in possession of the Premises. Property Address: 5609 La Foy Blvd, Dallas TX 75209 ("Premises") Lease Start Date: April 12 ,2024 ("Lease") In accordance with your Lease and the laws of Texas, after service on you of this notice, you are hereby given the following instructions: (Check the Appropriate Box) - NONPAYMENT. Within 3 days, the Landlord demands the total...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 19
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
and necessary disbursements together with possible statutory damages as allowed by law for such unlawful detention. Proportion 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 14 of 21 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 20
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...46 NUMBERS OF DRIVER LICENSE: City Zip LAST 4 NUMBERS OF SOCIAL SECURITY: DEFENDANT'S PHONE NUMBER: amos & Fax No. of Plaintiff (Landlord/Property Owner) or age JUN 3 0 2025 CureAIT= JP Evict Pet Rev. SEPTEMBE 2023 Cl F THE JUSTICE COURT OR NOTARY Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
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EXHIBIT_START
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
EXHIBIT D Lease Listing Respondent as Sole Financial Guarantor LEASE DOCUMENTATION EXPLANATION: This document confirms that Respondent is the sole financial guarantor on the marital lease (see Page 3). Despite this, she has refused to contribute to rent since January, leaving Petitioner with a $25,000/month burden after invasive spinal surgery and during a life-threatening staph infection. Meanwhile, Respondent who earns over a VEIP equity fund $1.4M/year has continued to invest $130,000+ annually into yielding 50% returns, in violation of standing order...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 22
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...to Soc.No. was is estate wspaper other for or there makes repairs BLYD City: Day: name and a Address: Service Term Name mounting Applicant's Current or Condition: Phone: 07-08-22 Moved-In: no USE Move-in Contact: agent Frisco. Address: Gwendolyn that move: Hot OF occupant referred and (first, TX Blonde persons a Sign 5609 strongly Property (Do to THIS Date: Dallas former bracket Tub. 75034 La 04-08-1976 express 2140 who and 449-67-7823 (213) Address: not in Ulijasz Applicant Claudia FORM Requested: (214) treatments 239-9630 ast middle, Finace' or remote...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 23
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...Employed which need Date: other vehicles for Lease or accommodation animals Employment Employment Day: BLYD registered Q4 receiving to non-chewer, Moved-In Current from 07-08-22 4571 Previous Previous animals attorney, it's Frisco. be animals sleeps further move: purposes. Applicant income TX (dogs, to Applicant or request Property first 204 (833) is Application is ls be upwards 75034 most Name listed S. for Katie Verification Verification Will Will parked cats, of 01-01-2024 Does other Address: Employer: If Moved IH Year the Broadway 2018 Employer: the...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 24
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...) (1) lease my Patricia a to to to Residential (TXR-2003) request. of Any Note: Appjiants to my to the Caleman landlord, Prieto my my my the my Lh. agency (5) Lease BLVD 07-08-22 information broker and property USE Frisco, Signature bank, mortgage current current current permission: broker, OF to above-named TX or THIS Application 7504 and and above-named and located at FORM describedgathering Jason obtain above-named person; savings payment BY Produced former former former in landlord's person; and and (214)705-4059 5609 with person concerning history R...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 25
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...ress: Car Type Prieto If Note: Employed total Date: other vehicles for Lease or accommodation animals form Employment Employment Day: BLVD in to Moved-In Current of from 07-08-22 Previous animals Previous attorney, Frisco. be animals move: 8383 purposes. Applicant income TX (dogs, April to Applicant home. or request April Property is Application is ls be 75034 Name listed for Verification Verification Will Will parked 2021 cats, restricted See Does other Address: Employer: If 2015 2023 Year Madison Employer: the kept on Dominion any Applicant Produced ye...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 26
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...) (1) lease my Patricia a to to to to l, Residential (TXR-2003) request. of Note: Applicant's Any to my to the Caleman landlord, Prieto my my my the my BLVD agency Lease 07-08-22 information broker 1 and property Gwendolyn USE Frisco, Signature bank, mortgage current current current permission: broker, OF to above-named TX or U Laura THIS Application 7504 and and above-named and located at FORM described gathering obtain above-named person; savings payment BY Ulijasz Produced farmer former former in landlord's person; and and (214)705-4059 5609 with pers...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 27
EXHIBIT_START
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
[EXHIBIT E, PG 1] Date: Thursday, May 8, 2025, at 111:37AM To: Gwen Ulijasz guliijasz@gmail.com, Gwen Laura Ulijasz McKemie gwendolyn.uliiasz@accenture.com Ce: "gwen.mckemie@accenture.com" gwen.mckemie@accenture.com, "gstat04d@hotmail.com" gstat04@hotmail.com, "9174711979@vtext.com" 9174711979@vtext.com - Subject: Deadline Today 5:00 PM / Formal Demand for Immediate Compliance with Healthcare Access Orders (Standing & Temporary) Gwen, Violations of Standing and Temporary Orders Deadline for Full Compliance: Today, Thursday, May 8th, by 5:00 PM CST IT IS...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 28
EXHIBIT_START
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
(EXHIBIT E, PG 2] second legal team after paying a prior retainer on the 6th of December. That same day, you reiterated via text as well as on that recorded call that "you did not have an attorney" and would not even "be able to start looking for one till the following Tuesday or Wednesday (the 17-18th)." On that call, you claimed you could not reinstate my retainer, which you also fraudulently reported as fraud, stating financially we were unable to do so-while simultaneously forwarding screenshots of your old Chase account to feign financial hardship a...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 29
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...Improvingyour billed claim on billed an Privacy Processed ID: May «Processed ID: June Health Processed site only Kutsen 15, Jensen 15, Cenier (Snouse) (Spouse) (Spouse) 2025 2025 experience ES004LTKRS ERFDN9YF8 Presbyterian Hospital Dallas Plan's Plan's experience,weseeachiogies,onithe'serhas $33.60 co share $21,366.37 share act you We View View may about Details Details you ad ayrecord strid Your Your action. $8.40 Me $436.89 an share share is somal ento provide our duct: Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
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EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
Ju Ju Ju Ju Ju Ju Ju Ju Ju Ju Ju Ju Ju Ju Ju Ju Ju Ju Ju Ju Ju Ju Ju Ju Ju Ju Ju Ju Ju 4 4 4 4, 4, 4, 4 4 S S 5 5 6 6 6 6 6 6 6 6 6, 6, 6 6 6 7 7 7 7 2025 2025 2025 2025 2025 2025 2025 2025 2025 2025 2025 2025 2025 2025 2025 2025 2025 2025 2025 2025 2025 2025 2025 2025 2025 2025 2025 2025 2136 2153 20_22 25_22 30_22 3922 16_23 35_23 12-00_ 1414 2033 2038 49_07 16_15 27_15 27_15 33_15 54_15 17-07 18-01 2147_ _2306 0131_ 44_02 0207 0809 SWORN 4 1 4 1 4 20251845, 1 C € C C C C C C C C C C C C C © C C C C C C C C C C C 2 Completed eted eted eted eted eted et...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
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EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/06/2025 Eric Ferguson DATE 6 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
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EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/06/2025 Eric Ferguson DATE 7 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
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EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/05/2025 DATE 8 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
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EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/04/2025 DATE 9 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
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EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/06/2025 ahun DATE 10 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
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EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. M emie °l08!2025 DATE 11 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
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EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/04/2025 Comacho gG DATE 12 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
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EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/06/2025 DATE 13 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
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EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/07/2025 Evie Ferguson DATE 14 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
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EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/07/2025 DATE 15 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
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EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/04/2025 DATE 16 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
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EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/04/2025 DATE 17 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
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REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...oes not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. Edward, 07/07/2025 Zohn DATE 18 of 39 Copy from re:SearchTX
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2025-07-11
Respondent / Jason
Notice Of Filing
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EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/05/2025 DATE 19 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 45
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/06/2025 7 DATE 20 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 46
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/05/2025 DATE 21 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 47
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/05/2025 DATE 22 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 48
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/06/2025 DATE 23 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 49
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/06/2025 One DATE 25 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 50
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/06/2025 DanichGrahmann DATE 26 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 51
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/04/2025 DATE 27 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 52
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/04/2025 Rachel Eddy DATE 28 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 53
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/07/2025 cKemie Lyn DATE 29 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 54
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/07/2025 DATE 30 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 55
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/06/2025 DATE 31 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 56
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/06/2025 Fort Jason DATE 32 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 57
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...ted does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. fF 07/06/2025 DATE 33 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 58
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/07/2025 &LEWIS Joseph DATE 34 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 59
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/08/2025 (Ey@ DATE 35 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 60
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/04/2025 MellyJ; DATE 36 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 61
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/05/2025 7 Stwt Groat DATE 37 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 62
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/06/2025 DATE 38 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 63
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sented does not reflect the reality of who Jason McKemie is. I declare under penalty of perjury that the foregoing is true and correct to the best of my knowledge. 07/06/2025 DATE 39 of 39 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 64
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...ed and should be GRANTED. IT IS THEREFORE ORDERED THAT: on this matter shall be scheduled for the earliest available date, 1. A hearing preferably by Wednesday, July 17, 2025. , July @ 2. At said hearing, the Court shall consider narrowly tailored temporary financial relief, including: o Immediate access to $20,000 in emergency funds for rent, medical care, and basic living expenses. o Reinstatement of healthcare access via the marital HSA account. o Any further emergency relief deemed necessary by the Court to preserve Petitioner's health, safety, and l...
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 65
EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...sult in further sanctions, including reimbursement of depleted medical funds and any necessary attorney's fees incurred to recover access. Signed on this the day of July 2025. JUDGE PRESIDING Jason McKemie Given the time-sensitive nature ofthe reliefsought and the Pro Se Petitioner risks identified in the underlying motion, the Court is 539 W Commerce St, Ste 2010 encouraged to set this matterfor the earliest available Dallas, TX 75208 hearing. (214) 868-4901 jmckemie@mckemie.net 2of2 Copy from re:SearchTX
#083
2025-07-11
Respondent / Jason
Notice Of Filing
Page 66
FILING_STAMP_OR_ESERVICE
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
...Notice Of Filing Filing Description: REQUEST FOR EMERGENCY HEARING TO PREVENT EVICTION DURING MEDICAL HARDSHIP WITH DECLARATION AND WITNESS STATEMENTS Status as of 7/16/2025 8:24 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Kim Jones kjones@sullivancook.com 7/15/2025 10:50:35 AM SENT Jeffrey ECook jcook@sullivancook.com 7/15/2025 10:50:35 AM SENT Tiffany Castenada tcastenada@sullivancook.com 7/15/2025 10:50:35 AM SENT William CCook wcook@sullivancook.com 7/15/2025 10:50:35 AM SENT Ethan Scroggins escroggins@sullivancook.com 7/15/2...
#077
2025-07-11
Respondent / Jason
Filing
Page 1
PLEADING_START
2025-07-11 els Witness List.pdf
THE MARRIAGE OF § § AND § WIFE’S WITNESS LIST NO. PERSON 1. Gwendolyn Ulijasz-McKemie 2. Jason McKemie 3. Edward Gardner 4. 5. 6. Wife’s Witness List Page 1
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2025-07-11
Filer unknown
Exhibit
Page 1
PLEADING_START
2025-07-11 els Exhibit List.pdf
...Tracing 9. Wife’s Separate Property Chase Checking x3898/x9259 Current Statement 10. Wife’s Separate Property Chase Checking x3898/x9259 Previous Statements and Tracing 11. Wife’s Separate Property Chase Checking x6893 Current Statement 12. Wife’s Separate Property Chase Checking x6893 Previous Statements and Tracing 13. Wife’s Separate Property Accenture Shares 14. Wife’s Separate Property Accenture Shares Tracing 15. Wife’s Separate Personal Property 16. Wife’s Income Documents 17. Wife’s Other Compensation and Bonuses 18. Wife’s Medical Expenses 19....
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2025-07-11
Filer unknown
Exhibit
Page 2
PLEADING_BODY
2025-07-11 els Exhibit List.pdf
20. Software Installation 21. Husband’s Monitoring 22. Husband’s Harassment 23. Husband’s Spending 24. Husband’s Debts 25. Sullivan & Cook Billing Invoices Wife’s Exhibit List Page 2
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2025-07-11
Petitioner / Gwendolyn
Filing
Page 1
PLEADING_START
2025-07-11 First Amended Inventory and Appraisement.pdf
THE MARRIAGE OF § § AND § FIRST AMENDED INVENTORY AND APPRAISEMENT OF GWENDOLYN ULIJASZ- MCKEMIE Gwendolyn Ulijasz-McKemie, Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None. NO real property, but there is a $5,000 security deposit for the 5609 La Foy Residenc...
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2025-07-11
Petitioner / Gwendolyn
Filing
Page 2
PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
...lijasz & Jason McKemie Account number: x6893 Type of account: Checking Name(s) on withdrawal cards: Gwendolyn Ulijasz & Jason McKemie Current account balance (as of 7/11/2025): $398 Source(s) of value/balance: Statement 4.2 Name of financial institution: Chase Bank Account name: Gwendolyn Ulijasz Account number: x3898 Type of account: Checking Name(s) on withdrawal cards: Gwendolyn Ulijasz Current account balance (as of 5/27/2025): $0 Source(s) of value/balance: Statement 4.3 Name of financial institution: Chase Bank Account name: Gwendolyn Ulijasz Accou...
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2025-07-11
Petitioner / Gwendolyn
Filing
Page 3
PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
Current account balance (as of 6/30/2025): $212 Source(s) of value/balance: Statement 4.5 Name of financial institution: USAA Account name: Gwendolyn Ulijasz and Jason McKemie Account number: TBD Type of account: Checking Name(s) on withdrawal cards: Gwendolyn Ulijasz Current account balance (as of 1/3/2025): $100 Source(s) of value/balance: Statement prior to lockout. 4.6 Name of financial institution: Chase Account number: x7496 Type of account: Checking Name(s) on withdrawal cards: Gwendolyn Ulijasz Current account balance (as of 7/11/2025): $82 Sourc...
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2025-07-11
Petitioner / Gwendolyn
Filing
Page 4
PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
...ward/grant: 10/16/2024 Number of shares/units: 505 Vesting schedule: 5 year cliff vesting on 505 shares; Current stock price: $384.95 Current net market value (as of 2/1/2025): $0 Value of community interest (as of 2/1/2025): $TBD Source(s) of value: Share price 7.B.1. Name of company: Accenture leadership supplemental new hire equity Date of award/grant: 10/16/2024 Number of shares/units: 288 Vesting schedule: 1/3 vest each October Current stock price: $384.95 Current net market value (as of 2/1/2025): $0 Value of community interest (as of 2/1/2025): $T...
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2025-07-11
Petitioner / Gwendolyn
Filing
Page 5
PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
Current stock price: $384.95 Current net market value (as of 2/1/2025): $0 Value of community interest (as of 2/1/2025): $TBD Source(s) of value: Share price; Expectation is 0% based on this year’s employment 7.C. Employee Stock Purchase Plan 7.C.1. Name of company: Accenture VEIP Voluntary stock purchase plan Date of option/grant: 2/5/2025 Number of shares/units: 24 Vesting schedule: Only matched if shares purchased and held through year. Current stock price: $384.95 Value of community interest: TBD Source(s) of value: Accenture Paystubs 8. Bonuses (gro...
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2025-07-11
Petitioner / Gwendolyn
Filing
Page 6
PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
...umber: TBD Account balance as of date of marriage: $0 Payee of survivor benefits: Jason McKemie Designated beneficiary: Jason McKemie Current account balance (as of 3/31/2025): $8,281 Balance of loan against plan: $0 Value of community interest in plan (as of 3/31/2025): $8,281 Source(s) of value: Statement 10.B. Defined Benefit Plan (any plan that is not a defined contribution plan and that usually involves payment of benefits according to a formula) 10.B.1. None. 6
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