#
2026-06-11
Respondent / Jason
Motion - Recuse
Page 1
PLEADING_START_FILE_MARKED
VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL_8A0E2F01.pdf
6/11/2026 1:21 PM DALLAS CO., TEXAS NO. DF-24-18010 THE MARRIAGE OF § § & § RESPONDENT'S VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL UNDER TEXAS RULE OF CIVIL PROCEDURE 18a TO THE HONORABLE COURT: Respondent, Jason McKemie, files this Verified Motion to Recuse before any evidence has been offered at the June 11,2026, trial setting, before any witness has been called, before any exhibit has been offered, before any testimony has been taken, and before any trial evidence has been received. This filing is made to invoke the recusal procedure before t...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Recuse
Page 2
PLEADING_BODY
VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL_8A0E2F01.pdf
evidence theft, hard-drive theft, trial-material theft, false reporting, source-record concealment, and refusal to restore the conditions necessary for trial. Respondent is the party fighting to survive and obtain a fair trial; he is not the source of the obstruction. Respondent files this Motion despite the known risk because the new evidence and current posture do not merely warrant recusal - they demand it. There is no possibility of fair trial when the opposing party violated mutual injunctions, unlawfully entered the residence, stole the hard drives...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Recuse
Page 3
PLEADING_BODY
VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL_8A0E2F01.pdf
A reasonable person could question impartiality where the case is forced to final trial despite known structural impossibility, stolen evidence repositories, stolen hard drives, stolen trial materials, unavailable source financial records, unresolved healthcare/OLE records, unresolved de novo/trial- readiness issues, rejected or unresolved adequate-trial-time requests, and Respondent's present inability to safely appear or present evidence. NEW MATERIAL FACTS SINCE THE PRIOR RECUSAL PROCEEDINGS Since the prior recusal proceedings, Petitioner unlawfully e...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Recuse
Page 4
PLEADING_BODY
VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL_8A0E2F01.pdf
Petitioner siphoned approximately $650,000 from marital accounts, declared destitution, and eft Respondent carrying approximately $25,000 per month in marital-estate obligations while Petitioner earned approximately $125,000 per month and Respondent had no income, no counsel, no access to survival funds, and was recovering from spinal surgery. Petitioner then committed perjury through false sworn statements suggesting financial helplessness, while concealing substantial resources and spending heavily on counsel, vendors, investigators, and third-party li...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Recuse
Page 5
EXHIBIT_START
VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL_8A0E2F01.pdf
REQUEST FOR RULING BEFORE EVIDENCE Respondent requests that this Motion be addressed before any evidence is offered. Respondent objects to any witness being called, any exhibit being offered, or any trial evidence being taken before this Motion is decided or referred. lf the Court proceeds despite this Motion, Respondent requests a clear ruling on the record and states that he appears, if at all, under objection and without waiving recusal, mandamus, de novo, due- process, healthcare, discovery, stolen-evidence, trial-readiness, financial-relief, court-r...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Recuse
Page 6
CERTIFICATE_OF_SERVICE
VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL_8A0E2F01.pdf
..., audio, court filings, records reviewed by me, and matters stated on information and belief where the basis for that belief is identified. Executed in Texas on June 11, 2026. Jason McKemie and/or email on June11,2026. Jason McKemie Page 6 of 6 Copy from re:SearchTX
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Recuse
Page 7
FILING_STAMP_OR_ESERVICE
VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL_8A0E2F01.pdf
...rules governing Envelope ID: 116028734 Filing Code Description: Motion - Recuse Filing Description: VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL Status as of 6/12/2026 9:07 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Jeffrey ECook jcook@sullivancook.com 6/11/2026 1:21:45 PM SENT Rebecca LArmstrong rebecca@armstronglawtexas.com 6/11/2026 1:21:45 PM SENT Terra Aguirre terra@armstronglawtexas.com 6/11/2026 1:21:45 PM SENT Lauren N.Shaw lauren@armstronglawtexas.com 6/11/2026 1:21:45 PM SENT Jason McKemie jmckemie@mckemie.net 6/...
Review suggested categories
#
2026-06-11
Respondent / Jason
Miscellaneous Event
Page 1
PLEADING_START_FILE_MARKED
SUPPLEMENTAL EMERGENCY FILING_07490B53.pdf
6/11/2026 1:46 PM DALLAS CO., TEXAS DF-24-18010 NO. THE MARRIAGE OF § § & § RESPONDENT'S SUPPLEMENTAL VERIFIED NOTICE OF CURRENT MEDICAL EMERGENCY, INABILITY TO SAFELY APPEAR AFTER TRIAL SETTING, REQUEST TO HALT PROCEEDINGS, REQUEST FOR REMOTE APPEARANCE, AND NON-WAIVER OF ALL OBJECTIONS TO THE HONORABLE COURT: Respondent, Jason McKemie, files this Supplemental Verified Notice after the June 11,2026 1:30 p.m. trial setting because Respondent is medically unable to safely appear in person and this Court must immediately halt any trial proceeding, evidence...
Review suggested categories
#
2026-06-11
Respondent / Jason
Miscellaneous Event
Page 2
PLEADING_BODY
SUPPLEMENTAL EMERGENCY FILING_07490B53.pdf
Respondent was involved in a car wreck last week. Respondent's vehicle is unsafe for extended travel. Respondent is also currently living in his vehicle, without stable housing, without working phone service, and without the ability to call for emergency help if his condition worsens during travel. Respondent has diverted from attempting to travel to Dallas and is presently in or near Bryan, Texas, where Respondent is being taken for emergency medical evaluation and/or hospital treatment for congestive-heart-failure symptoms. Respondent cannot safely dri...
Review suggested categories
#
2026-06-11
Respondent / Jason
Miscellaneous Event
Page 3
EXHIBIT_START
SUPPLEMENTAL EMERGENCY FILING_07490B53.pdf
Respondent requests immediate remote-access information by email so Respondent may make every possible effort to appear remotely by Zoom, Webex, Teams, telephone alternative, email link, or any available Wi-Fi method from the hospital, emergency-care setting, or available internet connection. Respondent's phone service is disconnected. Respondent requests that all remote-access information be sent by email to jmckemie@mckemie.net. IV. TRIAL SHOULD NOT PROCEED IN RESPONDENT'S ABSENCE Respondent objects to any trial proceeding, evidence presentation, witne...
Review suggested categories
#
2026-06-11
Respondent / Jason
Miscellaneous Event
Page 4
EXHIBIT_CONTINUATION
SUPPLEMENTAL EMERGENCY FILING_07490B53.pdf
Respondent has repeatedly informed this Court that Petitioner obstructed Respondent's healthcare access, including medical coverage, HSA access, FSA access, medication access, surgery access, and related benefits. Petitioner obstructed Respondent's healthcare access beginning no later than December 18, 2024. Petitioner caused or participated in a false divorce-based OLE that cut off Respondent's healthcare on October31, 2025, despite no divorce decree existing on that date. Petitioner has repeatedly represented compliance while Respondent contests functi...
Review suggested categories
#
2026-06-11
Respondent / Jason
Miscellaneous Event
Page 5
EXHIBIT_CONTINUATION
SUPPLEMENTAL EMERGENCY FILING_07490B53.pdf
...on immediately by email; 9. Rule on Respondent's recusal motion before evidence is received; 10. Rule on Respondent's emergency motion to abate, stay, or continue trial; 11. Preserve all mandamus, appellate, recusal, due-process, healthcare, stolen-evidence, discovery, source-record, court-reporter, de novo, financial-relief, and trial-readiness objections. Respondent further requests any other relief to which Respondent is entitled. Respectfully submitted, [Son fram Jason McKemie 539 W. Commerce St., Ste. 2010 Dallas, TX 75208 214-868-4901 jmckemie@mcke...
Review suggested categories
#
2026-06-11
Respondent / Jason
Miscellaneous Event
Page 6
EXHIBIT_CONTINUATION
SUPPLEMENTAL EMERGENCY FILING_07490B53.pdf
.... My phone service has been disconnected. | wreck last week, and my vehicle is unsafe for extended travel. attempted to travel from Houston toward Dallas for the June 11,2026trial setting, but could not safely complete the trip because of my medical condition, lack of gas resources, disconnected phone service, unsafe vehicle condition, and worsening symptoms. | am | diverted from attempting to travel to Dallas and am presently in or near Bryan, Texas, where being taken for emergency medical evaluation and/or hospital treatment for congestive-heart- failu...
Review suggested categories
#
2026-06-11
Respondent / Jason
Miscellaneous Event
Page 7
CERTIFICATE_OF_SERVICE
SUPPLEMENTAL EMERGENCY FILING_07490B53.pdf
Jason McKemie Page 7 of 7 Copy from re:SearchTX
Review suggested categories
#
2026-06-11
Respondent / Jason
Miscellaneous Event
Page 8
FILING_STAMP_OR_ESERVICE
SUPPLEMENTAL EMERGENCY FILING_07490B53.pdf
...EMERGENCY, INABILITY TO SAFELY APPEAR AFTER TRIAL SETTING, REQUEST TO HALT PROCEEDINGS, REQUEST FOR REMOTE APPEARANCE, AND NON-WAIVER OF ALL OBJECTIONS Status as of 6/12/2026 9:20 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Rebecca LArmstrong rebecca@armstronglawtexas.com 6/11/2026 1:46:24 PM SENT Terra Aguirre terra@armstronglawtexas.com 6/11/2026 1:46:24 PM SENT Lauren N.Shaw lauren@armstronglawtexas.com 6/11/2026 1:46:24 PM SENT Jason McKemie jmckemie@mckemie.net 6/11/2026 1:46:24 PM SENT Gwendolyn Ulijasz McKemie GUlijasz@gmai...
Review suggested categories
#
2026-06-11
Respondent / Jason
Notice Of Filing
Page 1
PLEADING_START_FILE_MARKED
NOTICE OF NON-WAIVER OF SANCTIONS, CIVIL CLAIMS, ATTORNEY MISCONDUCT CLAIMS, AND OBJECTION_2BE3851C.pdf
6/11/2026 1:26 PM DALLAS CO., TEXAS DF-24-18010 NO. THE MARRIAGE OF § § & § RESPONDENT'S NOTICE OF NON-WAIVER OF SANCTIONS, CONTEMPT, FEE OBJECTIONS, CIVIL CLAIMS, ATTORNEY MISCONDUCT CLAIMS, AND OBJECTION TO TREATING ENGINEERED COLLAPSE AS WAIVER TO THE HONORABLE COURT: Respondent, Jason McKemie, files this Notice before final trial, final orders, or any ruling that could be used to suggest waiver, abandonment, merger, release, adjudication, or consent. From this point forward, Jason McKemie is referred to as Respondent. Respondent does not waive sancti...
Review suggested categories
#
2026-06-11
Respondent / Jason
Notice Of Filing
Page 2
PLEADING_BODY
NOTICE OF NON-WAIVER OF SANCTIONS, CIVIL CLAIMS, ATTORNEY MISCONDUCT CLAIMS, AND OBJECTION_2BE3851C.pdf
...evidence, destruction of livelihood equipment, destruction of Respondent's music studio, destruction of computer-building hardware, and all spoliation-related remedies; 11. Civil conspiracy, aiding and abetting, concerted action, agency liability, vendor/contractor participation, third-party investigative participation, landlord-side participation, payment- proxy participation, mover/security participation, and John/Jane Doe co-conspirator liability; 12. Fraud, fraudulent inducement, fraudulent concealment, financial misrepresentation, false destitution...
Review suggested categories
#
2026-06-11
Respondent / Jason
Notice Of Filing
Page 3
PLEADING_BODY
NOTICE OF NON-WAIVER OF SANCTIONS, CIVIL CLAIMS, ATTORNEY MISCONDUCT CLAIMS, AND OBJECTION_2BE3851C.pdf
15. Financial sabotage, financial strangulation, concealment or dissipation of marital assets, source-record concealment, account wipeouts, disguised transfers, false characterization of equity/investment compensation, and obstruction of estate reconstruction; 16. Manufactured eviction, concealed lease buyout, landlord/lease-buyout concealment, county court, bankruptcy, or civil remedies; 17.Attorneymisconduct,counselparticipation,former-counselparticipation,current-counsel participation, pro hac vice counsel conduct, law-firm conduct, discovery obstruct...
Review suggested categories
#
2026-06-11
Respondent / Jason
Notice Of Filing
Page 4
PLEADING_BODY
NOTICE OF NON-WAIVER OF SANCTIONS, CIVIL CLAIMS, ATTORNEY MISCONDUCT CLAIMS, AND OBJECTION_2BE3851C.pdf
NO WAIVER OF STOLEN-EVIDENCE CLAIMS Respondent does not waive any claim, objection, sanction request, contempt request, exclusion request, preservation request, or civil claim arising from Petitioner's theft of Respondent's hard drives, evidence repositories, binders, paper files, legal work product, printer, printer ink, trial materials, medications, device evidence, Apple evidence, financial records, medical records, and itigation equipment. This was theft. No softer label applies. Petitioner unlawfully entered a residence she was barred from entering,...
Review suggested categories
#
2026-06-11
Respondent / Jason
Notice Of Filing
Page 5
PLEADING_BODY
NOTICE OF NON-WAIVER OF SANCTIONS, CIVIL CLAIMS, ATTORNEY MISCONDUCT CLAIMS, AND OBJECTION_2BE3851C.pdf
Respondent requests that this Notice be made part of the record before any trial evidence is received. Respondent further requests that no final trial, final decree, final property division, fee award, sanctions award, or order be used to imply waiver, release, merger, adjudication, abandonment, consent, or denial of Respondent's independent civil claims, sanctions requests, contempt requests, attorney-misconduct complaints, criminal referrals, disciplinary complaints, healthcare claims, stolen- evidence claims, mandamus complaints, appellate complaints,...
Review suggested categories
#
2026-06-11
Respondent / Jason
Notice Of Filing
Page 6
CERTIFICATE_OF_SERVICE
NOTICE OF NON-WAIVER OF SANCTIONS, CIVIL CLAIMS, ATTORNEY MISCONDUCT CLAIMS, AND OBJECTION_2BE3851C.pdf
...os, audio, court filings, records reviewed by me, and matters stated on information and belief where the basis for that belief is identified. Executed in Texas on June11,2026. Jason McKemie and/or email on June 11,2026. Jason McKemie Page 6 of 6 Copy from re:SearchTX
Review suggested categories
#
2026-06-11
Respondent / Jason
Notice Of Filing
Page 7
FILING_STAMP_OR_ESERVICE
NOTICE OF NON-WAIVER OF SANCTIONS, CIVIL CLAIMS, ATTORNEY MISCONDUCT CLAIMS, AND OBJECTION_2BE3851C.pdf
...iling Code Description: Notice Of Filing Filing Description: NOTICE OF NON-WAIVER OF SANCTIONS, CIVIL CLAIMS, ATTORNEY MISCONDUCT CLAIMS, AND OBJECTION Status as of 6/12/2026 9:22 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Rebecca LArmstrong rebecca@armstronglawtexas.com 6/11/2026 1:26:44 PM SENT Terra Aguirre terra@armstronglawtexas.com 6/11/2026 1:26:44 PM SENT Lauren N.Shaw lauren@armstronglawtexas.com 6/11/2026 1:26:44 PM SENT Jason McKemie jmckemie@mckemie.net 6/11/2026 1:26:44 PM SENT Gwendolyn Ulijasz McKemie GUlijasz@gmai...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 1
PLEADING_START_FILE_MARKED
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
6/11/2026 1:17 PM DALLAS CO., TEXAS DF-24-18010 NO. THE MARRIAGE OF § § § RESPONDENT JASON MCKEMIE'S VERIFIED EMERGENCY MOTION TO ABATE, STAY, OR CONTINUE TRIAL; REQUEST FOR REMOTE APPEARANCE; REQUEST FOR DE NOVO TRIAL-READINESS HEARING; REQUEST FOR HEALTHCARE PRESERVATION, TEMPORARY FINANCIAL RELIEF, COURT REPORTER, NON-WAIVER, AND PROTECTION OF STOLEN EVIDENCE TO THE HONORABLE COURT: Respondent, Jason McKemie, files this Verified Emergency Motion before any final trial evidence is taken on June 11,2026. From this point forward, Jason McKemie is referre...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 2
PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
...cations, or device evidence. Those materials must be preserved away from Petitioner and her agents and returned to Respondent without access by Petitioner or her agents. 11. Deny in full any request by Petitioner or her counsel for fees, costs, protective expenses, vendor expenses, or sanctions against Respondent arising from this emergency. The delay is the product of Petitioner's concealment, noncompliance, theft, healthcare obstruction, and financial sabotage, not Respondent's bad faith. Page 2 of 9 Copy from re:SearchTX
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 3
PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
...ord verification, subpoena authority, trial abatement, continuance, housing stability, due-process protection, and medical preservation. The record also shows the June11,2026 bench trial setting, prior inability-to-pay filings, prior emergency verified continuance/abatement filings, prior healthcare filings, prior discovery filings, prior court-reporter requests, and prior recusal history. physical collapse because the catastrophe Respondent warned about has now happened. Petitioner stole the evidence, stole the supplies, stole the printer, stole the har...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 4
PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
...oximately three months while recovering and preparing for the collapse counsel believed was coming. On December 10, 2024, Respondent underwent spinal surgery. On December11,2024, Respondent paid a $5,750 egal retainer to obtain counsel and protect himself. On December 12, 2024, on advice of counsel, Respondent transferred $30,000 for survival funds while recovering from spinal surgery and purchased rehabilitation equipment and rehabilitation services necessary for spinal-surgery recovery. Petitioner was notified of the transfer. She texted Respondent and...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 5
PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
without printer ink, without a functioning laptop screen, and without the hard drives, binders, paper files, and legal work product Petitioner stole. Respondent has been living out of a vehicle and moving between Houston, Dallas, and Bryan under medical instability. Respondent's vehicle is in repossession status and unsafe. Respondent cannot safely drive four hours without phone service, gas money, headlights, parking funds, trial materials, evidence repositories, or medical stability. Respondent's parents are now also in bankruptcy. Respondent understan...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 6
PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
If trial proceeds today and final orders terminate or impair healthcare coverage, Respondent may lose the surgeries and medical care that Petitioner's healthcare obstruction already delayed. Final trial today would reward healthcare obstruction and place Respondent's survival at risk. EVIDENCE THEFT, NOT A PROPERTY DISPUTE Petitioner was not authorized to enter the residence. She was barred from entering and had been repeatedly identified as a risk for theft, destruction, manufactured allegations, law- enforcement escalation, and evidence sabotage. This...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 7
PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
Petitioner stole Respondent's Apple TV/device evidence and then used or attempted to use that stolen device to manufacture a false stalking/surveillance narrative with San Antonio Police a false accusation against Department. A device stolen from Respondent was turned into Respondent. Respondent's police reports and report numbers regarding the Dallas theft were stolen from his desk. Respondent has requested open records but has not had time to receive them before today's trial. SOURCE FINANCIAL RECORDS AND HEALTHCARE RECORDS REMAIN UNAVAILABLE The finan...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 8
PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
product of medical emergency, financial strangulation, evidence theft, healthcare obstruction, and transportation impossibility - not waiver. Respondent preserves mandamus, appeal, de novo, recusal, due-process, discovery, healthcare, source-record, financial-relief, court-reporter, stolen-evidence, and trial-readiness complaints. REQUEST Respondent requests that the Court grant the relief requested above, abate, stay, or continue trial, preserve healthcare, preserve stolen evidence, prohibit Petitioner and her agents from accessing or benefiting from st...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 9
CERTIFICATE_OF_SERVICE
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
...s, audio, court filings, records reviewed by me, and matters stated on information and belief where the basis for that belief is identified. Executed in Texas on June 11,2026. Jason McKemie and/or email on June11,2026. Jason McKemie Page 9 of 9 Copy from re:SearchTX
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 10
FILING_STAMP_OR_ESERVICE
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
...g Envelope ID: 116028476 Filing Code Description: Motion - Miscellaneous Filing Description: VERIFIED EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL Status as of 6/12/2026 8:58 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Rebecca LArmstrong rebecca@armstronglawtexas.com 6/11/2026 1:17:47 PM SENT Terra Aguirre terra@armstronglawtexas.com 6/11/2026 1:17:47 PM SENT Lauren N.Shaw lauren@armstronglawtexas.com 6/11/2026 1:17:47 PM SENT Jason McKemie jmckemie@mckemie.net 6/11/2026 1:17:47 PM SENT Gwendolyn Ulijasz McKemie GUlijasz@gmai...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 1
PLEADING_START_FILE_MARKED
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
6/11/2026 1:17 PM DALLAS CO., TEXAS DF-24-18010 NO.___________________________________________ THE MARRIAGE OF § § § RESPONDENT JASON MCKEMIE'S VERIFIED EMERGENCY MOTION TO ABATE, STAY, OR CONTINUE TRIAL; REQUEST FOR REMOTE APPEARANCE; REQUEST FOR DE NOVO TRIAL-READINESS HEARING; REQUEST FOR HEALTHCARE PRESERVATION, TEMPORARY FINANCIAL RELIEF, COURT REPORTER, NON-WAIVER, AND PROTECTION OF STOLEN EVIDENCE TO THE HONORABLE COURT: Respondent, Jason McKemie, files this Verified Emergency Motion before any final trial evidence is taken on June 11, 2026. From...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 2
PLEADING_BODY
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
...cations, or device evidence. Those materials must be preserved away from Petitioner and her agents and returned to Respondent without access by Petitioner or her agents. 11. Deny in full any request by Petitioner or her counsel for fees, costs, protective expenses, vendor expenses, or sanctions against Respondent arising from this emergency. The delay is the product of Petitioner’s concealment, noncompliance, theft, healthcare obstruction, and financial sabotage, not Respondent’s bad faith. Page 2 of 9
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 3
PLEADING_BODY
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
...d verification, subpoena authority, trial abatement, continuance, housing stability, due-process protection, and medical preservation. The record also shows the June 11, 2026 bench trial setting, prior inability-to-pay filings, prior emergency verified continuance/abatement filings, prior healthcare filings, prior discovery filings, prior court-reporter requests, and prior recusal history. physical collapse because the catastrophe Respondent warned about has now happened. Petitioner stole the evidence, stole the supplies, stole the printer, stole the har...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 4
PLEADING_BODY
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
...ximately three months while recovering and preparing for the collapse counsel believed was coming. On December 10, 2024, Respondent underwent spinal surgery. On December 11, 2024, Respondent paid a $5,750 legal retainer to obtain counsel and protect himself. On December 12, 2024, on advice of counsel, Respondent transferred $30,000 for survival funds while recovering from spinal surgery and purchased rehabilitation equipment and rehabilitation services necessary for spinal-surgery recovery. Petitioner was notified of the transfer. She texted Respondent a...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 5
PLEADING_BODY
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
without printer ink, without a functioning laptop screen, and without the hard drives, binders, paper files, and legal work product Petitioner stole. Respondent has been living out of a vehicle and moving between Houston, Dallas, and Bryan under medical instability. Respondent’s vehicle is in repossession status and unsafe. Respondent cannot safely drive four hours without phone service, gas money, headlights, parking funds, trial materials, evidence repositories, or medical stability. Respondent’s parents are now also in bankruptcy. Respondent understan...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 6
PLEADING_BODY
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
If trial proceeds today and final orders terminate or impair healthcare coverage, Respondent may lose the surgeries and medical care that Petitioner’s healthcare obstruction already delayed. Final trial today would reward healthcare obstruction and place Respondent’s survival at risk. EVIDENCE THEFT, NOT A PROPERTY DISPUTE Petitioner was not authorized to enter the residence. She was barred from entering and had been repeatedly identified as a risk for theft, destruction, manufactured allegations, law- enforcement escalation, and evidence sabotage. This...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 7
PLEADING_BODY
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
Petitioner stole Respondent’s Apple TV/device evidence and then used or attempted to use that stolen device to manufacture a false stalking/surveillance narrative with San Antonio Police Department. A device stolen from Respondent was turned into a false accusation against Respondent. Respondent’s police reports and report numbers regarding the Dallas theft were stolen from his desk. Respondent has requested open records but has not had time to receive them before today’s trial. SOURCE FINANCIAL RECORDS AND HEALTHCARE RECORDS REMAIN UNAVAILABLE The finan...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 8
PLEADING_BODY
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
product of medical emergency, financial strangulation, evidence theft, healthcare obstruction, and transportation impossibility - not waiver. Respondent preserves mandamus, appeal, de novo, recusal, due-process, discovery, healthcare, source-record, financial-relief, court-reporter, stolen-evidence, and trial-readiness complaints. REQUEST Respondent requests that the Court grant the relief requested above, abate, stay, or continue trial, preserve healthcare, preserve stolen evidence, prohibit Petitioner and her agents from accessing or benefiting from st...
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 9
CERTIFICATE_OF_SERVICE
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
..., audio, court filings, records reviewed by me, and matters stated on information and belief where the basis for that belief is identified. Executed in Texas on June 11, 2026. __________________________________ Jason McKemie and/or email on June 11, 2026. __________________________________ Jason McKemie Page 9 of 9
Review suggested categories
#
2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 10
FILING_STAMP_OR_ESERVICE
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
...g Envelope ID: 116028476 Filing Code Description: Motion - Miscellaneous Filing Description: VERIFIED EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL Status as of 6/12/2026 8:58 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Rebecca LArmstrong rebecca@armstronglawtexas.com 6/11/2026 1:17:47 PM SENT Terra Aguirre terra@armstronglawtexas.com 6/11/2026 1:17:47 PM SENT Lauren N.Shaw lauren@armstronglawtexas.com 6/11/2026 1:17:47 PM SENT Jason McKemie jmckemie@mckemie.net 6/11/2026 1:17:47 PM SENT Gwendolyn Ulijasz McKemie GUlijasz@gmai...
Review suggested categories