DF-24-18010 Litigation Record Search

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ERRONEOUS PUBLIC FILING AND EMERGENCY MOTION TO SEAL PREVIOUSLY SUBMITTED DECLARATION

#096 2025-07-24 Respondent / Jason Notice Of Filing Page 1 PLEADING_START_FILE_MARKED
ERRONEOUS PUBLIC FILING AND EMERGENCY MOTION TO SEAL PREVIOUSLY SUBMITTED DECLARATION_6B8484BE.pdf
StatusHigh confidenceNeeds category reviewRespondent pleading: no ruling made / no hearing
7/24/2025 12:59 PM DALLAS CO., TEXAS DF-24-18010 NO. THE MARRIAGE OF § § § NOTICE OF ERRONEOUS PUBLIC FILING AND EMERGENCY MOTION TO SEAL PREVIOUSLY SUBMITTED DECLARATION submission by Respondent. EMERGENCY MOTION TO SEAL ERRONEOUSLY PUBLIC FILING AND NOTICE OF FILING ERROR TO THE HONORABLE JUDGE OF SAID COURT: COMES NOW, Respondent Jason McKemie, and files this Emergency Motion to Seal a respectfully shows the following: 1. On or about [insert exact date/time you submitted it], Respondent submitted a declaration titled: - "DB-24-180100 Evidentiary Decla...

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ERRONEOUS PUBLIC FILING AND EMERGENCY MOTION TO SEAL PREVIOUSLY SUBMITTED DECLARATION

#096 2025-07-24 Respondent / Jason Notice Of Filing Page 2 PLEADING_BODY
ERRONEOUS PUBLIC FILING AND EMERGENCY MOTION TO SEAL PREVIOUSLY SUBMITTED DECLARATION_6B8484BE.pdf
StatusHigh confidenceNeeds category reviewRespondent pleading: no ruling made / no hearing
filings and the nature of the material. 3. Respondent respectfully requests that this Honorable Court: o Immediately place the submitted declaration under seal, and o Instruct the Clerk to replace the public version with a sealed version in accordance with the Court's authority and Texas Rule of Civil Procedure 76a. 4. This motion is submitted in good faith and without delay upon recognition of the error. WHEREFORE, PREMISES CONSIDERED, Respondent prays that the Court grant this Emergency Motion and seal the above-described document from public view. Res...

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ERRONEOUS PUBLIC FILING AND EMERGENCY MOTION TO SEAL PREVIOUSLY SUBMITTED DECLARATION

#096 2025-07-24 Respondent / Jason Notice Of Filing Page 3 FILING_STAMP_OR_ESERVICE
ERRONEOUS PUBLIC FILING AND EMERGENCY MOTION TO SEAL PREVIOUSLY SUBMITTED DECLARATION_6B8484BE.pdf
StatusHigh confidenceNeeds category reviewRespondent pleading: no ruling made / no hearing
...449 Filing Code Description: Notice Of Filing Filing Description: ERRONEOUS PUBLIC FILING AND EMERGENCY MOTION TO SEAL PREVIOUSLY SUBMITTED DECLARATION Status as of 7/30/2025 8:59 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Kim Jones kjones@sullivancook.com 7/24/2025 12:59:11 PM SENT Jeffrey ECook jcook@sullivancook.com 7/24/2025 12:59:11 PM SENT Tiffany Castenada tcastenada@sullivancook.com 7/24/2025 12:59:11 PM SENT William CCook wcook@sullivancook.com 7/24/2025 12:59:11 PM SENT Ethan Scroggins escroggins@sullivancook.com 7/24/2...

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EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT

#098 2025-07-24 Respondent / Jason Motion - Miscellaneous Page 1 PLEADING_START_FILE_MARKED
EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT_1B9D26DD.pdf
ConfirmedHealthcareEmergencyDiscovery ViolationsFinancial ReliefDue Process FailuresParity / Status QuoMedical RiskAttorney GamesmanshipDanger / High Risk
StatusEmergency motion / stabilization required
7/24/2025 5:42 PM DALLAS CO., TEXAS DF-24-18010 NO. THE MARRIAGE OF § § § FILE UNDER SEAL EMERGENCY MOTION FOR IMMEDIATE FINANCIAL RELIEF, OBJECTION TO TRIAL SETTING FOLLOWING RULE 18a RECUSAL, AND REQUEST FOR WRIT-ELIGIBLE COURT ACKNOWLEDGMENT Pursuant to Texas Rules of Civil Procedure This document is submitted under seal in accordance with the Texas Rules of Civil Procedure and is not to be disclosed or made publicly accessible without further order of the Court. Respondent expressly reserves the right to move for this document to be unsealed, in whol...
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EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT

#098 2025-07-24 Respondent / Jason Motion - Miscellaneous Page 2 PLEADING_BODY
EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT_1B9D26DD.pdf
ConfirmedHealthcareEmergencyDiscovery ViolationsFinancial ReliefDue Process FailuresParity / Status QuoMedical RiskAttorney GamesmanshipDanger / High Risk
StatusEmergency motion / stabilization required
PROCEDURE AND COURT'S INHERENT AUTHORITY DF-24-18010 NO. IN THE MATTER OF § IN THE DISTRICT COURT THE MARRIAGE OF § § & § DF-24-18010 EMERGENCY MOTION FOR IMMEDIATE FINANCIAL RELIEF, OBJECTION TO TRIAL SETTING FOLLOWING RULE 18a RECUSAL, AND REQUEST FOR WRIT-ELIGIBLE COURT ACKNOWLEDGMENT THIS RECUSAL WAS INITIATED BY RESPONDENT. PURSUANT TO TEXAS RULE OF CIVIL PROCEDURE 18a. AS THE MOVING PARTY, RESPONDENT HAS A LEGAL RIGHT TO BE HEARD ON THE PROCEDURAL AND EVIDENTIARY ISSUES THAT NECESSITATED THE RECUSAL PRIOR TO ANY TRIAL SETTING OR FURTHER MERITS HEAR...
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EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT

#098 2025-07-24 Respondent / Jason Motion - Miscellaneous Page 3 PLEADING_BODY
EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT_1B9D26DD.pdf
ConfirmedHealthcareEmergencyDiscovery ViolationsFinancial ReliefDue Process FailuresParity / Status QuoMedical RiskAttorney GamesmanshipDanger / High Risk
StatusEmergency motion / stabilization required
Under Rule 18a(i)(3), the moving party has a right to be heard on the issues giving rise to the recusal before the matter may proceed to trial or be ruled on by the newly assigned judge. This document presents a non-exhaustive summary of the procedural violations and evidentiary concerns that support the recusal and require judicial review. A full record is being compiled and will be submitted separately. I. THIS RECURSAL WAS INITIATED BY RESPONDENT arose out of a documented pattern of procedural suppression, unequal treatment, and deprivation of fundame...
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EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT

#098 2025-07-24 Respondent / Jason Motion - Miscellaneous Page 4 PLEADING_BODY
EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT_1B9D26DD.pdf
ConfirmedHealthcareEmergencyDiscovery ViolationsFinancial ReliefDue Process FailuresParity / Status QuoMedical RiskAttorney GamesmanshipDanger / High Risk
StatusEmergency motion / stabilization required
...to trial or be ruled on by the newly assigned judge. This declaration presents a non-exhaustive summary of the procedural violations and by 10:00 AM on Friday, July 25, 2025. Il. URGENCY AND IMMINENT HARM Respondent is facing imminent eviction and homelessness, with a final court- acknowledged deadline of Monday, July 28, 2025. He has not eaten in several days, is relying on food pantries, and is actively fighting a life-threatening staph infection without access to medication. 1 10:00 AM CST. Respondent An eviction hearing is scheduled for Friday, July...
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EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT

#098 2025-07-24 Respondent / Jason Motion - Miscellaneous Page 5 PLEADING_BODY
EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT_1B9D26DD.pdf
ConfirmedHealthcareEmergencyDiscovery ViolationsFinancial ReliefDue Process FailuresParity / Status QuoMedical RiskAttorney GamesmanshipDanger / High Risk
StatusEmergency motion / stabilization required
...in December 2024, Petitioner reported Respondent's rehabilitation equipment and legal retainer as "fraud," cutting off access to both medical and legal recovery. In July 2025, while hospitalized with cellulitis, Respondent received HSA access temporarily and filled a $41 prescription. Petitioner revoked the card the following day, blocking access to critical medications, including those for congestive heart failure. Sullivan & Cook was notified but took no corrective action. Respondent has been off vital medication for over three months. VI. SYSTEMIC JUD...
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EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT

#098 2025-07-24 Respondent / Jason Motion - Miscellaneous Page 6 PLEADING_BODY
EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT_1B9D26DD.pdf
ConfirmedHealthcareEmergencyDiscovery ViolationsFinancial ReliefDue Process FailuresParity / Status QuoMedical RiskAttorney GamesmanshipDanger / High Risk
StatusEmergency motion / stabilization required
SYSTEMIC DUE PROCESS VIOLATIONS Respondent has been repeatedly and systematically obstructed from obtaining any judicial relief, including emergency support, enforcement of standing orders, and financial access. Specific examples include: Coordinated Procedural Obstruction and Judicial Lockout Respondent has encountered repeated and compounding procedural barriers that have effectively denied him access to judicial relief. The following patterns have emerged: - e Judicial Lockout via Conditional Access On multiple occasions, when Respondent attempted to...
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EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT

#098 2025-07-24 Respondent / Jason Motion - Miscellaneous Page 7 PLEADING_BODY
EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT_1B9D26DD.pdf
ConfirmedHealthcareEmergencyDiscovery ViolationsFinancial ReliefDue Process FailuresParity / Status QuoMedical RiskAttorney GamesmanshipDanger / High Risk
StatusEmergency motion / stabilization required
At least eleven documented emergency hearing attempts were made in a 14-day span. Every attempt was blocked: e If Respondent notified Sullivan & Cook, they refused to appear e Ifhe asked them for availability, they gave no response e fhe appeared anyway, the Court refused to proceed e fhe insisted, bailiffs removed him from the courthouse This created a closed-loop of procedural denial, fully exploited by Sullivan & Cook, to prevent: e Emergency relief e Discovery enforcement e Financial access e Judicial review of certified financial misconduct Vil. DIS...
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EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT

#098 2025-07-24 Respondent / Jason Motion - Miscellaneous Page 8 PLEADING_BODY
EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT_1B9D26DD.pdf
ConfirmedHealthcareEmergencyDiscovery ViolationsFinancial ReliefDue Process FailuresParity / Status QuoMedical RiskAttorney GamesmanshipDanger / High Risk
StatusEmergency motion / stabilization required
This case centers on a litigant who has repeatedly weaponized the civil and criminal justice system for gain. Petitioner has used legal proceedings to: e Wrongfully evict former partners e Silence third-party witnesses e Intimidate landlords and employers e Block direct and indirect communication Petitioner is believed to spend over $100,000/year on litigation and has received confidential cash settlements from at least three former employers. Her sister, Pamela Woodman, submitted perjured testimony contradicted by video and used to justify a protective...
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EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT

#098 2025-07-24 Respondent / Jason Motion - Miscellaneous Page 9 PLEADING_BODY
EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT_1B9D26DD.pdf
ConfirmedHealthcareEmergencyDiscovery ViolationsFinancial ReliefDue Process FailuresParity / Status QuoMedical RiskAttorney GamesmanshipDanger / High Risk
StatusEmergency motion / stabilization required
Respectfully submitted, A San Lf Jason McKemie Pro Se Respondent 539 W Commerce St, Ste 2010 Dallas, TX 75208 (214) 868-4901 jmckemie@mckemie.net Copy from re:SearchTX
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EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT

#098 2025-07-24 Respondent / Jason Motion - Miscellaneous Page 10 PLEADING_BODY
EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT_1B9D26DD.pdf
ConfirmedHealthcareEmergencyDiscovery ViolationsFinancial ReliefDue Process FailuresParity / Status QuoMedical RiskAttorney GamesmanshipDanger / High Risk
StatusEmergency motion / stabilization required
...property, to remain in effect pending further orders of this Court; 2. This Order shall be presented by Respondent at the scheduled eviction hearing on Friday, July 25, 2025 at 10:00 AM, to serve as official notice of the Court's intervention and the stay of eviction enforcement; 3 All eviction proceedings related to 5609 La Foy Boulevard, Dallas, Texas 75209 are hereby stayed until further review and determination by this Court. SIGNED on this the day of July, 2025. JUDGE PRESIDING 302nd District Court Copy from re:SearchTX
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EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT

#098 2025-07-24 Respondent / Jason Motion - Miscellaneous Page 11 FILING_STAMP_OR_ESERVICE
EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT_1B9D26DD.pdf
ConfirmedHealthcareEmergencyDiscovery ViolationsFinancial ReliefDue Process FailuresParity / Status QuoMedical RiskAttorney GamesmanshipDanger / High Risk
StatusEmergency motion / stabilization required
...Code Description: Motion - Miscellaneous Filing Description: EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT Status as of 7/25/2025 11:54 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Kim Jones kjones@sullivancook.com 7/24/2025 5:42:53 PM SENT Jeffrey ECook jcook@sullivancook.com 7/24/2025 5:42:53 PM SENT Tiffany Castenada tcastenada@sullivancook.com 7/24/2025 5:42:53 PM SENT William CCook wcook@sullivancook.com 7/24/2025 5:42:53 PM SENT Ethan Scroggins escroggins@sullivancook.com 7/24/2025...
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DECLARATION OF RESPONDENT'S DISASSOCIATION FROM BINDER INTRODUCED BY PETITIONER'S COUNSEL

#099 2025-07-24 Respondent / Jason Affidavit Page 1 PLEADING_START_FILE_MARKED
DECLARATION OF RESPONDENT'S DISASSOCIATION FROM BINDER INTRODUCED BY PETITIONER'S COUNSEL_B3E64A7D.pdf
ConfirmedAttorney Gamesmanship
StatusRespondent pleading: no ruling made / no hearing
7/24/2025 12:26 PM DALLAS CO., TEXAS DF-24-18010 NO. THE MARRIAGE OF § § & § DECLARATION OF RESPONDENT'S DISASSOCIATION FROM BINDER INTRODUCED BY PETITIONER'S COUNSEL Submitted by: Jason McKemie, Respondent, Pro Se Location: The following events occurred on Wednesday, July 23, 2025, at the 254th District Court, located in the George L. Allen, Sr. Courts Building, 600 Commerce Street, Dallas, Texas 75202. | Jason McKemie, submit this sworn declaration under penalty of perjury to formally clarify my position regarding an incident that occurred on July 23,...
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DECLARATION OF RESPONDENT'S DISASSOCIATION FROM BINDER INTRODUCED BY PETITIONER'S COUNSEL

#099 2025-07-24 Respondent / Jason Affidavit Page 2 PLEADING_BODY
DECLARATION OF RESPONDENT'S DISASSOCIATION FROM BINDER INTRODUCED BY PETITIONER'S COUNSEL_B3E64A7D.pdf
ConfirmedAttorney Gamesmanship
StatusRespondent pleading: no ruling made / no hearing
While | was seated inside the chambers, Mr. Scroggins entered and motioned for me to step into the hallway. After briefly introducing himself, he attempted to hand me a large black binder, which I declined to accept. Mr. Scroggins referred to the binder as "your evidence binder," stating: - we're about | wanted you to have it. So, take it, come inside "This is yours. to get started." proceed accordingly. Mr. Scroggins acknowledged that he had seen the filing but dismissed its significance, stating in substance: "The judge is just going to deny it. That's...
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DECLARATION OF RESPONDENT'S DISASSOCIATION FROM BINDER INTRODUCED BY PETITIONER'S COUNSEL

#099 2025-07-24 Respondent / Jason Affidavit Page 3 PLEADING_BODY
DECLARATION OF RESPONDENT'S DISASSOCIATION FROM BINDER INTRODUCED BY PETITIONER'S COUNSEL_B3E64A7D.pdf
ConfirmedAttorney Gamesmanship
StatusRespondent pleading: no ruling made / no hearing
...ns. This declaration is made to eliminate any ambiguity regarding my evidentiary submissions and to ensure the Court is aware of my position with respect to the July 23, 2025, incident. | respectfully request that this be entered into the record for the sake of transparency, evidentiary clarity, and future judicial review. Submitted under penalty of perjury this 23rd day of July 2025. Jason McKemie Respondent, Pro Se 539 W Commerce St, Ste 2010 Dallas, TX 75208 (214) 868-4901 jmckemie@mckemie.net 3 of 4 Copy from re:SearchTX
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DECLARATION OF RESPONDENT'S DISASSOCIATION FROM BINDER INTRODUCED BY PETITIONER'S COUNSEL

#099 2025-07-24 Respondent / Jason Affidavit Page 4 PLEADING_BODY
DECLARATION OF RESPONDENT'S DISASSOCIATION FROM BINDER INTRODUCED BY PETITIONER'S COUNSEL_B3E64A7D.pdf
ConfirmedAttorney Gamesmanship
StatusRespondent pleading: no ruling made / no hearing
Pursuant to Texas Civil Practice and Remedies Code §132.001, | declare under penalty of perjury that the foregoing is true and correct. Jason McKemie 4of4 Copy from re:SearchTX
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DECLARATION OF RESPONDENT'S DISASSOCIATION FROM BINDER INTRODUCED BY PETITIONER'S COUNSEL

#099 2025-07-24 Respondent / Jason Affidavit Page 5 FILING_STAMP_OR_ESERVICE
DECLARATION OF RESPONDENT'S DISASSOCIATION FROM BINDER INTRODUCED BY PETITIONER'S COUNSEL_B3E64A7D.pdf
ConfirmedAttorney Gamesmanship
StatusRespondent pleading: no ruling made / no hearing
...543311 Filing Code Description: Affidavit Filing Description: DECLARATION OF RESPONDENT'S DISASSOCIATION FROM BINDER INTRODUCED BY PETITIONER'S COUNSEL Status as of 7/25/2025 10:14 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Kim Jones kjones@sullivancook.com 7/24/2025 12:26:13 PM SENT Jeffrey ECook jcook@sullivancook.com 7/24/2025 12:26:13 PM SENT Tiffany Castenada tcastenada@sullivancook.com 7/24/2025 12:26:13 PM SENT William CCook wcook@sullivancook.com 7/24/2025 12:26:13 PM SENT Ethan Scroggins escroggins@sullivancook.com 7/24/...
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