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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 1
PLEADING_START_FILE_MARKED
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
5/12/2026 1:19 PM NO. DALLAS CO., TEXAS § § § RESPONDENT'S SUPPLEMENTAL EMERGENCY MOTION FOR INTERIM STABILIZATION, HEALTHCARE ENFORCEMENT, CASE MGMT, AND OBJECTION TO PHV ADMISSION TO THE HONORABLE JUDGE OF SAID COURT: Jason McKemie files this Supplemental Emergency Motion for Immediate Stabilization, Healthcare Enforcement, Trial-Capacity Relief, and Objection to Pro Hac Vice Admission, and respectfully shows the Court as follows: 1. PURPOSE OF THIS SUPPLEMENTAL EMERGENCY MOTION Respondent is in immediate financial and trial-capacity collapse, and Peti...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 2
PLEADING_BODY
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
...rom the convergence of: 1. unresolved discovery noncompliance carried forward through recusal and transfer; 2. unresolved healthcare enforcement issues; 3. the April 16, 2026 execution, entry, cleanout, and property-removal event that materially disrupted Respondent's evidence repositories, litigation materials, office systems, and trial-preparation capacity; 4. ongoing bankruptcy, eviction, transportation, utility, healthcare, and communication instability; and 5. the current trial setting now approaching within approximately thirty days. Respondent is...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 3
PLEADING_BODY
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
...ements, or self-generated confirmations shall not constitute compliance. Vill. APRIL 16 WRIT AFTERMATH EXHIBIT AND SUPPLEMENTATION Attached as Exhibit A is the April 16, 2026 Writ Aftermath Photo Exhibit. It is offered for the limited purpose of showing why immediate stabilization, healthcare enforcement, trial-readiness case management, and compliance-verification relief are necessary. The exhibit documents the timeline of entry, surveillance disablement, Petitioner's arrival, Petitioner's recorded statement regarding "evidence," removal and destruction...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 4
PLEADING_BODY
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
IX. REQUESTED RELIEF Respondent respectfully requests that the Court enter immediate interim orders: 1. ordering Petitioner to deposit $ (Requesting Min. $25,000) in emergency stabilization funds by direct Chase-to-Chase transfer or through the registry of the Court with immediate release authority; 2. enforcing the December 17, 2025, 24hr emergency healthcare reinstatement order with functional, third-party verification (separate from emergency stabilization); 3. requiring Petitioner to restore or verify all healthcare, HSA, FSA, card, reimbursement, po...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 5
PLEADING_BODY
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
hearings, whether pro hac vice admission should be denied or deferred pending hearing., set emergency trial-readiness case management, and grant all further relief to which he is justly entitled. Best Regards, Jason McKemie 539 W. Commerce St. #2010 Dallas, TX 75208 jmckemie@mckemie.net (214) 868-4901 DF-24-18010 5 Copy from re:SearchTX
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 6
EXHIBIT_START
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
...EF FROM OF STAY BANKRUPTCY EXHIBITA: BENEFITS TERMINATION CAUSE BY A PARTICIPANT-DIRECTED DIVORCED-BASED QLE SUBMISSION EXHIBIT M: MEDICAL RISK / DR DITTMAR LETTER 04.24.2026 EXHIBIT F: FINANCIAL NEED UNSWORN DECLARATION My name is Jason McKemie. My date of birth is April 8, 1976. My address is 539 W Commerce St, Ste 2010, Dallas, Texas 75208. declare under penalty of perjury that the factual statements in this Motion are true and correct based on my personal knowledge, my review of the case record, my review of prior discovery submissions, my review of...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 7
CERTIFICATE_OF_SERVICE
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
Procedure on May 12, 2026. Jason McKemie DF-24-18010 7 Copy from re:SearchTX
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 8
EXHIBIT_START
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
...REGARDING PETITIONER'S ACCESS TO THE RESIDENCE Petitioner repeatedly requested access to the marital residence through pleadings and during court hearings. On January 6, 2026, during a motion-to-compel hearing, Judge Abendroth initially approved access over Applicant's objections. After reviewing the history, however, the Court stated that Petitioner had already been given more than enough time to retrieve her property and that further personal access was no longer permitted. resulted in property damage, disorder inside the home, unsupported allegations,...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 9
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
...to personally re-enter the residence and that Back Alley 2:34PM any remaining retrieval had to occur through a neutral process. * Motion Il. TIMELINE OF KNOWN APRIL 16, 2026, EVENTS - 2:37 p.m. Applicant left the residence to go to court after identifying defective service and attempting to stop the writ. Applicant closed the garage before leaving. - 2:39 p.m. Petitioner's security personnel backed into the rear driveway. The garage was opened from inside. - 2:39 p.m. Security cameras began being disabled, including cameras being ripped from walls. Fift...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 10
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
...15 to 20 feet away, with the driver photographing Applicant through an open window using a DSLR camera. Ill. COORDINATED ENTRY AND DISABLEMENT OF SURVEILLANCE April 16, 2026 was not an ordinary writ execution. It was a coordinated evidence grab, asset seizure, property destruction event, and survival destabilization campaign. At approximately 2:37 p.m., Applicant left the residence to go to court after identifying defective service and attempting to stop the writ. Thursday, April 6 Applicant closed the garage before leaving. Within minutes, Petitioner's...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 11
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
2:46PM ARRIVAL FROM SAN ANTONIO VIA UBER Thursday, April 16 139 events Driveway 2:49PM Back Alley * Motion Driveway 2:47PM Back Alley f Metion Front Walkway 2:46PM | Outside 5 Person Driveway 2:46PM Gack Alley +f Motion Front Walkway 2:46PM ~ Gutside & Persen Front Walkway 2:42PM | Outside i' Person Driveway 2:43PM Back Alley 4 Motion Petitioner had already been denied further unrestricted personal access through prior court property transfer had to occur through a neutral process. Her use of outdated identification was not harmless. It was used to creat...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 12
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
VI. REMOVAL, DESTRUCTION, AND MISCLASSIFICATION OF PROPERTY Once inside, Petitioner took control of the packing and removal process. Property was divided into "keep" and "dispose" categories. In practice, "dispose" became Applicant's property. Items necessary for survival, litigation, medical access, identity, and daily functioning were removed, damaged, destroyed, discarded, or left behind in a condition designed to make retrieval nearly impossible. This included medications, auto-injectors, hard drives, litigation files, tax records, passport, identifi...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 13
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
Vill. CONSTABLE STATEMENT AND PETITIONER LEAVING WITH PROPERTY When Applicant left the courthouse around 5:30 p.m., he spoke with the constable. The constable stated that Petitioner had been inside boxing items from the attic and that he told her to stop and unload the SUV The constable stated that Petitioner then got into the SUV and left with her security guards. When Applicant asked why the constable could not recover the property, the constable stated that he did not have authority to chase her. This confirms that Petitioner personally removed proper...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 14
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
It took approximately 36 hours to bring the property back inside. By approximately 4:00 a.m., Applicant was physically exhausted and slept outside in a lawn chair to watch the property. At approximately 7:00 a.m., Applicant woke to the same blue Lexus stopped approximately 15 to 20 feet away, with the driver photographing Applicant through an open window using a DSLR camera. This was continued surveillance during physical vulnerability, not ordinary neighborhood activity. XI. BROADER FINANCIAL, LEASE, HEALTHCARE, AND LITIGATION CONTEXT The April 16 event...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 15
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
APRIL 16TH / WRIT DESTRUCTION High-value items were left in residence while other property was removed or destroyed, reflecting selective and non-standard handling. BazaartED3EFD84-CBAB9726BBCAC.JPEG APRIL 16TH / WRIT DESTRUCTION Afterproviding an invalid ID, Petitioner took control of the property removal; including exclusive choice over everything she desired to keep, of what was disposed, and of what Respondent would be permitted to have after the writ concluded. IMG_1859.jpg APRIL 16TH / WRIT DESTRUCTION Elliptical machine abandoned. IMG_1896.jpg APR...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 16
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
\. hy at ad : w * ayw + ¢ > J je 7 { by APRIL 16TH / WRIT DESTRUCTION APRIL 16TH / WRIT DESTRUCTION Electronics and heavy items were placed into Glassware, clothing, and household items wardrobe boxes, creating excessive weight commingled in trash bags and discarded and foreseeable damage. Several wardrobe in piles; fragile items broken. "a boxes appeared to be "loaded in place, with glass and breakable items at the bottom and A large pile in the front of the residence heavier equipment stacked on top, mostly was over 5 ft tall, with significant property...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 17
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
APRIL 16 WRIT DESTRUCTION APRIL 16 WRIT DESTRUCTION ALL MYSONS / THIRD-PARTYPAYMENT When Applicant returned after the writ was stopped, a 26-foot "All My Sons" moving truck was unloading his property. Applicant spoke with the booking manager, who stated the movers were contracted only to move property from the lawn to the truck and could not bill Gwendolyn Ulijasz because they did not have her payment information. The booking manager identified the payment source as Merritt McClayton Rahilly, Gwendolyn's close friend, and stated that Gwendolyn was explic...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 18
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
...ft dismounting, causing obvious structural and property damage. behind, rendering remaining equipment unusable and increasing restoration cost. IMG_2070.jpg IMG_2078.jpg 12 of -19 Copy from re:SearchTX
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 19
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
...ding Passport and Tax Info which would have Desk with aftermarket 72" solid wood been rendered unrecoverable. tabletop left in residence as well. IMGD6A38F2B-2BA4-4DAD-A005-209B2EA207D8.JPEG DJDESKWRIT.JPEG 13 of -19 Copy from re:SearchTX
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 20
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
APRIL 16/ WRIT AFTERMATH A Photograph taken shortly after our move when | began putting the studio together. Later additions included a dedicated M2 MacBook Pro, Pioneer CDJ3k & DJS1k, IK Multimedia ARC Studio Room Correction System, KRK $8 Subwoofer, Custom Marble Sub Platform on top of ISO Acoustics Sub Platform, (2) Panamax M4315PRO Power Conditioner's with BluBolt, OneAC CB115, Custom Grounding Cabling with Distribution Blocks & Cabling, and an ISO-Acoustics Subwoofer Platform Base among other APRIL 16/ WRIT AFTERMATH Critical equipment removed; only...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 21
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
...T AND DESTRUCTION PERSONAL PROPERTY AND LIVELIHOOD The items depicted on these pages reflect property either removed from the residence or destroyed during the April 16, 2026, property seizure ATTO THUNDERLINK event. The KRK S8 subwoofer and ATTO ThunderLink adapter ADAPTOR (DESTROYED) referenced herein were later recovered in non-functional condition and appear to have been electrically damaged or "fried." All other items depicted in these photographs remain missing. KRK S8 SUBWOOFER (DESTROYED) 15 of -19 Copy from re:SearchTX
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 22
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
Multiple GPU's, a Custom Configured Minisforum N5 Pro Network Attached Storage with Integrated Al Computer Running Ubuntu with an External eGPU RTX GeForce 4070 Ti Super OC via OcuLink, Running OpenClaw w/ a Host ofAgents for Legal Document Creation, Multiple SSD's + Enclosures, 10G Fiber, Switch, & More... 16 of -19 Copy from re:SearchTX
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 23
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
: : 1 yf 1 com é jf : : : 17 of -19 Copy from re:SearchTX
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 24
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
18 of -19 Copy from re:SearchTX
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 25
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
PAST STALKING EFFORTS ELEVATED CONCERNS: AIRTAGS DISCOVERED ON RESPONDENT'S BELONGINGS AFTER MUILTIPLE TRIPS TO THE MARITAL RESIDENCE ON PRIOR VISITS IN DECEMBER OF 2024 well ETE 22 anal 4 Find About This AirTag About This AirTag About This AirTag Serial Number: HGCL22¥XP@GV Serial Number: HGQKQGRSPaGY Serial Number: HGMKRMYAP@GY Owner: (***) ***-1979 Owner: (7**) ***-1979 Owner: (**") ***1979 An AirTag is used to keep track of An AirTag is used to keep track of An AirTag is used to keep track of everyday items like keys or a bag. everyday items like key...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 26
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
H DF-24-18010 THE MARRIAGE OF § § D DALLAS TEXAS JASON MCKEMIE COUNTY, RON EMERGENCY OF HEALTHCARE REINSTATEMENT On this the Court considered Jason McKemie's Motion (Respondent's) Emergency regarding day, is to reinstatement of healthcare The Court finds immediate relief necessary prevent coverage. medica} har 4% (A MUST CHOOSE AND COMPLETE ONE COMPLIANCE PATH PATH) (PETITIONER 1. Within hours of the of this Order, Petitioner shall complete one of twenty-four (24) signing and written of the two compliance paths provide Respondent proof completion followi...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 27
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
...56 Coverage Judgment comprised + 1. Vision COBRA + Dental $55.32 $2,684.56 (Medical $609.23 premiums (four months): four and $6.59, multiplied by months), 2. amounts HSA 2026 HSA HSA/FSA replacement totaling $17,959.00 (2025 $5,959.00; FSA 2026 FSA $6,000.00; 2025 $3,000.00; $3,000.00). IV. NON-INTERFERENCE A. Petitioner shall not interfere or obstruct access to with, restrict, disable, Respondent's healthcare or medical care further order of the Court. coverage, prescriptions, pending V. ENFORCEMENT AND PAYMENT DEADLINES B written A or complete lure to...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 28
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
weeks of in to tWo ana Aunt fav of (2) equivalent Respondent Petitioner base bonuses, cash\incentives, equity\compensation, compensation, including alary, Kind. Petitioner shall remuneration of deferr and any a employer-provided compensation, amount into joint ending deposit that ascount XX689within er shall a fine of !f t on $1,00 time, day deposited noncompliance trigger coercive full. accrue until in paid 3 with future to interference D. Future The same remedies Respondent's any apply tn'terference. * medical care the date of trial access to coverage,...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 29
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
...EXAS ae ENTERED THE DATE OF ENTRY IS ON THE COURT'S DOCKET The following constitutes the ruling of the court and has the force and effect therein described Signed May 6, 2026 United States Bankruptcy Judge UNITED STATES BANKRUPTCY COURT FOR THE NORTHERN DISTRICT OF TEXAS DALLAS DIVISION § In re: § Chapter 7 § JASON EMORY MCKEMIE, § CASE NO. 26-30161-MVL-7 § Debtor. § § ORDER GRANTING IN PART DEBTOR'S EMERGENCY MOTION Before the Court is the Notice ofInability to Comply with Move-Out Deadline and Request (the "Debtor"), pro se, on April 30, 2026 [ECF No....
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 30
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
...me" with respect to the Order Reinstating the Automatic Stay as to 5609 La Foy Blvd., Dallas, TX 75209 (the "Stay Reinstatement Order') entered by the Court on April 16, 2026 [ECF No. 57], in which the Court ordered the reinstatement of the stay pursuant to § 362 of the Bankruptcy Code until April 30, 2026. ECF No. 69; ECF No. 57. More specifically, the Debtor contends that, while he had fully intended to vacate the real property located at 5609 La Foy Blvd., Dallas, TX 75209 prior to the lifting of the automatic stay after April 30, 2026, pursuant to th...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 31
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
ofthe move-out deadline established in the Stay Reinstatement Order. The Debtor shall have until end of day on Friday May 8, 2026, to exit the premises located at 5609 La Foy Blvd., Dallas, TX 75209 and remove any belongings. Given the prior lift of stay granted by the Court pursuant to its Order Terminating the 11 U.S.C. § 362 Automatic Stay that was entered on April 9, 2026 [ECF No. 43], the Landlord shall be entitled to pursue its state law remedies to pursue eviction of the Debtor from the property in question. However, neither the Debtor nor his bel...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 32
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
ORDERED that the Clerk of Court shall serve a copy of this Order via regular first-class mail to the Debtor at 539 W. Commerce St., #2010, Dallas, TX 75208, and via e-mail at jmckemie@mckemie.net, as well as to Skweres Properties via e-mail at jacquelineskweres@gmail.com and office@skweresproperties.com. ###END OF ORDER#HH 4 Copy from re:SearchTX
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 33
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
A Begin forwarded message: From: USBenefits <USBenefits@accenture.com> Date: January 21, 2026 at 4:40:46 PM CST To: Jason McKemie <jmckemie@ mckemie.net- Cc: Jason McKemie <mckemie76@gmail.com> - SECOND DEMAND FOR REINSTATEMENT / 30 DAYS WITHOUT ACCESS TO CRITICAL Subject: RE: ERISA §104(b)(4) Request MEDICATIONS / NOTICE OF ESCALATING MEDICAL HARM Mr. McKemie, Thank you for raaching out. We want to address your concems. We will start by confirming that your coverage was reinstated in Oecember and has now been reinstated effective as of the initial drop...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 34
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
...service available under Public Utility Commission rules, and may be used to provide notices relating to my electric service to the Emergency Contact. Son Date: APRIL 19, 2026 Signature: Patient/ Patient's Guardian. Parent, or Managing Conservator: I have read and understood the information and certify that the information provided in this application about me {or the patient) is correct. I agree to the release of the information on this form conceming my (or the patient's) medical condition for the purposes stated on this application. 1 do agree. Revised...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 35
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
Date: Signature: (Signature required, even ifsame person as Customer.) the Patient's Physician PAGE 3- To Be Completed by FROM PAGE 2: PATIENT'S NAME: Mekere CUSTOMER NAME: pega. Soluony ESIID: foggy3720302321725 PART 2: ALL INFORMATION IS REQUIRED YES NO Option #1 1) The patient is dependent upon an electric-powered medical device to sustain life. x _AND/OR- YES NO Option #2 1) The patient has a serious medical condition that requires an electric-powered medical device or electric heating or cooling to prevent impairment of a major life function x throu...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 36
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
...rScott&White 1 HEALTHTEXAS PROVIDER NETWORK BAYLOR MEDICINE AT UPTOWN 4161 McKinney Avenue, Suite 300 Dallas, Texas 75204 Phone: 972-817-7040 Fax: 972-817-7050 April 24, 2026 RE: Jason Emory McKemie DOB: 04/08/1976 I am the treating physician for Mr. Jason McKemie. He is an established patient under my care and was evaluated on April 24, 2026. Mr. McKemie carries a diagnosis of congestive heart failure with reduced functional capacity and a documented history of cardiac decompensation. At this time, he demonstrates significant fatigue, edema, and clinica...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 37
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
123:3 1 antl > 12:32 % onl = 12:31 a wt + &» C3 & @ QO Good Afternoon, Jason &, Send | Zelle® Deposit checks Pay bills Payment was due Apr 30 An account requires attention > + Your current balance Current spend this month Same as Accounts last month $182.47 SO Bank accounts (1) Your next bill will be ready by dun ¥2. TOTAL CHECKING (...6893) > fy Your payment is overdue Your current balance inciudes a past due amount and late fees from the ast bills. Please make a payment now -$90.55 to avoid service Interruption. Track Payday Start + Available balance A...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 38
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
Jason McKemie Tuesday, May 12, 2026 at 12:34:53 PM Central Daylight Time Subject: You've missed a storage payment Date: Friday, May 8, 2026 at 2:02:28 PM Central Daylight Time From: Public Storage <DoNotReply@Publicstorage.com> To: Jason McKemie <jmckemie@mckemie.net> Public Storage Your account is past due. 7 Pay Now Hi Jason, As of 5/8/2026, your account balance of $299.90 has become past due and a late fee has been applied. Please note that charges and fees may continue to accrue until full payment is made. Your Account Details Jason McKemie Account N...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 39
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
Your Balance Due Storage Location: 4740 Harry Hines Blvd Dallas, TX 75235 Get Directions Space Number: 5151 Space Size: 10x10 PAST DUE/DUE DUE NEXT NOW 06/01/2026 RENT $202.00 $101.00 LATE FEES $40.40 $0.00 LIEN FEE $57.50 $0.00 TOTAL $299.90 $101.00 : Here are some ways to pay e Set up AutoPay in your account for effortless automatic payments. e Download the Public Storage App. e Login or do Quick Pay on PublicStorage.com 2 of 4 Copy from re:SearchTX
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 40
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
e Visit a Public Storage Facility to pay at the office or kiosk. ¢ Pay by phone by dialing 866-444-4747 (for a small fee). Always here, Your Public Storage Team Need more Check out our FAQs. help? How Can I Make A Payment? How Can | Set Up and Manaqae AutoPay? Where Can I View My Balance? Have questions? Chat with us Pay your bills, your - way with help from the app. Make payments instantly, set up AutoPay, and stay up to date on your account right from your phone. 3of4 Copy from re:SearchTX
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 41
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
...x 25050 Glendale, CA 91221-5050. Thanks! The information contained in this email message is confidential and intended only for the recipient to which it was addressed. © 2026 Public Storage. All rights reserved. PublicStorage.com U.S. Locations Privacy Policy Accessibility Terms & Conditions Frequently Asked Questions 4of 4 Copy from re:SearchTX
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 42
FILING_STAMP_OR_ESERVICE
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
...ng Description: ESPONDENT'S SUPPLEMENTAL EMERGENCY MOTION FOR INTERIM STABILIZATION, HEALTH CARE ENFORCEMENT, CASE MGMT. AND OBJECTION TO PHV ADMISSION Status as of 5/13/2026 9:25 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Kim Jones kjones@sullivancook.com 5/12/2026 1:19:02 PM SENT Rebecca LArmstrong rebecca@armstronglawtexas.com 5/12/2026 1:19:02 PM SENT Terra Aguirre terra@armstronglawtexas.com 5/12/2026 1:19:02 PM SENT Lauren N.Shaw lauren@armstronglawtexas.com 5/12/2026 1:19:02 PM SENT Jason McKemie jmckemie@mckemie.net 5/12/...
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