All topics
Attorney Gamesmanship
#185
2026-01-26
Respondent / Jason
Notice Of Filing
Page 1
PLEADING_START_FILE_MARKED
NOTICE OF PRESERVATION OF WITNESSES, & LARGE DISCOVERY PRODUCTION IN FINAL HOUR_43CEE77A.pdf
1/26/2026 12:00 AM DALLAS CO., TEXAS DF-24-18010 RULES OF CIVIL PROCEDURE AND NO. COURTS INHERENT AUTHORITY MARRIAGE OF § § § NOTICE OF PRESERVATION OF WITNESSES, NOTICE OF LATE DISCOVERY AND FOR CONTINUANCE PRODUCTION, REQUEST FOR FINANCIAL AND MEDICAL STABILIZATION NOTICE IS HEREBY GIVEN: Respondent files this Notice for the limited purposes of (1) preserving Respondent's ability to call identified witnesses; (2) notifying the Court of substantial discovery production occurring on the eve of exhibit deadlines; and (3) requesting a continuance consisten...
#185
2026-01-26
Respondent / Jason
Notice Of Filing
Page 2
PLEADING_BODY
NOTICE OF PRESERVATION OF WITNESSES, & LARGE DISCOVERY PRODUCTION IN FINAL HOUR_43CEE77A.pdf
Il. PRESERVATION OF ABILITY TO CALL WITNESSES Respondent provides the following non-exclusive witness list to preserve the ability to call witnesses as discovery is completed. This list may be supplemented as additional discovery, third-party subpoenas, and trustee findings are finalized. A. Material Witnesses Pam Woodman Christopher McNally Elizabeth Bender Dr. Kathy Spangenberg Wynn E. Pott B. Third-Party / Professional Witnesses Jason Paru Detective Vidal (San Antonio Police Department) Detective Carnivally (San Antonio Police Department) Detective We...
#185
2026-01-26
Respondent / Jason
Notice Of Filing
Page 3
PLEADING_BODY
NOTICE OF PRESERVATION OF WITNESSES, & LARGE DISCOVERY PRODUCTION IN FINAL HOUR_43CEE77A.pdf
information remains outstanding and is required for subpoena issuance and trial preparation, including but not limited to: e Security, investigative, surveillance, and contractor vendors (e.g., Jetty Partners); e The three off-duty police officers present at the marital residence on January 2, 2024; e Individuals and companies involved in surveillance of Respondent's residence; e The individual or vendor who inspected Petitioner's vehicle and reported discovery of a tracking device; e The cybersecurity vendor receiving approximately $2,700 per month in p...
#185
2026-01-26
Respondent / Jason
Notice Of Filing
Page 4
PLEADING_BODY
NOTICE OF PRESERVATION OF WITNESSES, & LARGE DISCOVERY PRODUCTION IN FINAL HOUR_43CEE77A.pdf
Respondent respectfully requests that the Court: 1. Acknowledge this notice preserving Respondent's ability to call witnesses; 2. Take notice of late and ongoing discovery production; and 3. Grant a continuance consistent with the Court's prior guidance to allow completion of discovery, subpoena returns, trustee findings, and medical stabilization. Respectfully Submitted, - Pane Jason McKemie Respondent, Pro Se DF-24-18010 4of4 Copy from re:SearchTX
#185
2026-01-26
Respondent / Jason
Notice Of Filing
Page 5
FILING_STAMP_OR_ESERVICE
NOTICE OF PRESERVATION OF WITNESSES, & LARGE DISCOVERY PRODUCTION IN FINAL HOUR_43CEE77A.pdf
on the date and to the persons listed below. The rules governing Envelope ID: 110445905 Filing Code Description: Notice Of Filing Filing Description: NOTICE OF PRESERVATION OF WITNESSES, & LARGE DISCOVERY PRODUCTION IN FINAL HOUR Status as of 1/26/2026 12:52 PM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Jason McKemie jmckemie@mckemie.net 1/25/2026 12:00:44 AM SENT Gwendolyn Ulijasz McKemie GUlijasz@gmail.com 1/25/2026 12:00:44 AM SENT Copy from re:SearchTX
#183
2026-01-20
Respondent / Jason
Notice Of Filing
Page 1
PLEADING_START_FILE_MARKED
NOTICE OF PRIOR STANDING REQUEST FOR COURT REPORTER_VERBATIM RECORD_BA50ADB4.pdf
1/20/2026 12:00 AM DALLAS CO., TEXAS NOTICE: DOCUMENT CONTAINS DF-24-18010 NO. SENSITIVE INFORMATION. MARRIAGE OF § § & § NOTICE OF PRIOR STANDING FOR REQUEST COURT REPORTER / VERBATIM RECORD FOR HEARINGS ON TUES, JAN 20TH & THURS, JAN 22ND (Both @ 9AM) NOTICE IS HEREBY GIVEN: Respondent files this notice as a courtesy reminder to the Court and all parties of Respondent's existing standing request for a court reporter and verbatim record of proceedings, and to confirm that request applies to the upcoming hearings set for January 20, 2026 at 9:00 a.m. (Ce...
#183
2026-01-20
Respondent / Jason
Notice Of Filing
Page 2
CERTIFICATE_OF_SERVICE
NOTICE OF PRIOR STANDING REQUEST FOR COURT REPORTER_VERBATIM RECORD_BA50ADB4.pdf
January 20, 2026 and January 22, 2026, as well as all subsequent proceedings unless the standing request is expressly withdrawn. This notice is provided as a courtesy reminder only and is not intended to modify, expand, or waive any prior request, objection, or right. Respectfully submitted, Jason McKemie Defendant, Pro Se 539 W. Commerce St., Ste. 2010 Dallas, Texas 75208 (214) 868-4901 jmckemie@mckemie.net record, and provided to the Court on January 15, 2026, by electronic filing & email. e JASON MCKEMIE NOTICE OF STANDING REQUIREMENT FOR COURT REPORT...
#183
2026-01-20
Respondent / Jason
Notice Of Filing
Page 3
FILING_STAMP_OR_ESERVICE
NOTICE OF PRIOR STANDING REQUEST FOR COURT REPORTER_VERBATIM RECORD_BA50ADB4.pdf
on the date and to the persons listed below. The rules governing Envelope ID: 110187858 Filing Code Description: Notice Of Filing Filing Description: NOTICE OF PRIOR STANDING REQUEST FOR COURT REPORTER/VERBATIM RECORD Status as of 1/22/2026 10:40 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Jason McKemie jmckemie@mckemie.net 1/18/2026 7:55:53 AM SENT Gwendolyn Ulijasz McKemie GUlijasz@gmail.com 1/18/2026 7:55:53 AM SENT Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 1
PLEADING_START_FILE_MARKED
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
1/20/2026 12:00 AM DALLAS CO., TEXAS IN THE MATTER OF THE MARRIAGE OF GWENDOLYN ULIJIASZ-MCKEMIE AND JASON MCKEMIE RESPONDENT'S NOTICE OF DISCOVERY COMPLIANCE, NOTICE OF HEALTHCARE COMPLIANCE, REQUEST FOR REMOTE APPEARANCE, REQUEST FOR ACCESS TO PERSONAL PROPERTY, REQUEST FOR CONSOLIDATION AND HEARING LIMITS, AND CASE MANAGEMENT CLARIFICATION Petitioner files this Notice to clarify the status of discovery and healthcare compliance, to request permission to appear remotely for upcoming hearings, to request written authority to retrieve personal property,...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 2
PLEADING_BODY
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
and incorporates it by reference. Petitioner is not aware of any unmet court-ordered obligation regarding healthcare coverage or HSA access. IV. REQUEST FOR ACCESS TO PERSONAL AND SEPARATE PROPERTY Respondent again respectfully requests written authority to retrieve her personal belongings. This request is not for division of property or adjudication of ownership and does not depend on a divorce decree. Certain items Petitioner seeks to retrieve are clearly documented separate property, supported by bills of lading from her May 2023 move to Texas that pr...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 3
CERTIFICATE_OF_SERVICE
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
By way of context only, Petitioner notes that in the past twelve months, Respondent has in writing July 22, 2025. Respondent additionally submitted another 25 motions in the second half of 2025, most of which have involved overlapping and duplicative issues. In the past three weeks alone leading up to final pretrial deadlines, four hearings have been set. Petitioner is not requesting abatement or delay of trial and is prepared to proceed as scheduled. Petitioner respectfully requests a brief extension of pretrial discovery and exhibit deadlines of 5 cale...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 4
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Exhibit A: 2™confirmation from Petitioners attorney confirming discovery completion and Production Inventory produced Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 5
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
..."Statements" GU001598-1650 - Chase x2372 See "Statements" GU001598-1650 Nov 2024 page 3 attached Dec 2024 page 3 attached Sincerely, ETHAN SCROGGINS Sullivan & Cook LLC Attorney 600 East Las Colinas Blvd, Suite 1300 Irving, TX 75039 https://mail.google.com/mail/u/0/?ik=546a930cb5&view=pt&search=all&permthid=thread-f: 18538906906 18699987%7Cms¢-f: 1853963 133834107797&simpl=msg-... 1/2 Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 6
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
1/17/26, 1:40 PM Gmail - Fwd: Discovery (214) 520-7494 escroaains@sullivancock.com Thank you, Gwen Ulijasz Thank you, Gwen Ulijasz 3 attachments 2025-10-09 Exhibit A - Discovery Log.xIsx Dec 2024 Page 3.pdf 1139K Page 3.pdf = Nov1139K2024 https://mail.google.com/mail/u/0/7ik=546a93Ocb5&view=pt&search=all&permthid=thread-f: 8538906906 | 8699987%7Cmsp-f: 1853963 133834107797&simpl=msg-... 2/2 Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 7
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
EXHIBIT A GWEN'S PRODUCTION Description Start End Date Produced Responsive To RFP 2022-06-22 AdvantiGen Subscription Agreement.pdf GU600001 'GU000002 2/24/25 1A 2023-03-19 AdvantiGen Subscription Ag:reement pdf GU000003 GU000004 22425 TA 2024 AIG 401(k).pdf GU00000S Gu000010 2/24/25 IA 2024 AMEX Platinum x6008 Statements pdf Guoo00t GU000031 2/24/25 IA 2024 Chase Acct x3898 SStalernents pdf GU000032 GU000075 2/24/25 IA 2024 Chase Acct x6893 Statements pdf GU000076 GU000105 22425 IA 2024-07 throuyh 2025-01 Chase Saphire x2372.pdf GU000106 GU000126 2/24/25...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 8
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
My Holdings All RSUs and Stock w. vesting she s Final.pdf GU001338 GU001352 6/23/25 1,312 New CC Account PaidOffFinal.pdf GUG01353 GU001356 6/23/25 12 Payment to IRS for 2024 Taxes.pdf GU001357 GU001357 6/23/25 12 Pictures of Software and Jason.pdf GU001358 GU001595 6/23/25 12,13 Promisorry Note.pdf GU001596 GU001597 6/23/25 4,12 Statements pdf GU001598 GU001650 6/23/25 1, 10, 12, 15 Texts with Sisterpdf GU00I651 GU001656 6/23/25 5, 11, 12 Tracking Devices Final.pdf GU001657 GU001662 6/23/25 12 ULIJASZ LETTER - Procedure.pdf. GU001663 GU001663 62325 7,12...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 9
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
ACCOUNT ACTIVITY (CONTINUED) Date of Transaction Merchant Name or Transaction Description $ Amount 10/25 WWW.WAGGINWATER.COM WWW.WAGGINWAT IL 69.00 « 10/25 EATZI'S - OAK LAWN DALLAS TX 166.19 10/26 NOHEMY TEAROOM DALLAS TX 16.78 10/25 TM "LANE 800-653-8000 CA 105.70 10/26 7-ELEVEN 32924 DALLAS TX 41.78 10/26 7-ELEVEN 32924 DALLAS TX 39.95 10/25 & SLING.COM 888-363-1777 CO 79.01 10/26 FORESTWOOD ANTIQUE MALL DALLAS TX 150.47 10/27 & KASA YOGA DALLAS 972-7465991 TX 280.00 10/28 VZWRLSS*APOCG VISN 800-922-0204 FL 321.60 10/28 7-ELEVEN 50711 HTTPSWWW.7ELE TX...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 10
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
ACCOUNT ACTIVITY (CONTINUED) Date of Transaction Merchant Name or Transaction Description Amount 10/25 WWW.WAGGINWATER.COM WWW.WAGGINWAT IL 69.00 10/25 EATZI'S - OAK LAWN DALLAS TX 166.19 10/26 NOHEMY TEAROOM DALLAS TX 16.78 10/25 TM "LANE 800-653-8000 CA 105.70 10/26 7-ELEVEN 32924 DALLAS TX 11.78 10/26 7-ELEVEN 32924 DALLAS TX 39.95 10/25 & SLING.COM 888-363-1777 CO 79.01 10/26 FORESTWOOD ANTIQUE MALL DALLAS TX 150.47 40/27 & KASA YOGA DALLAS 972-7465991 TX 280.00 40/28 VZWRLSS*APOCC VISN 800-922-0204 FL 321.60 10/28 7-ELEVEN 50711 HTTPSWWW.7ELE TX 40....
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 11
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
ACCOUNT ACTIVITY (CONTINUED) Dale of Transaction Merchant Name or Transaction Description Amount 1125 & SLING.COM 888-363-1777 CO 79.01 41/25 & TST*HARVEY HOUSE Madison WI 162.61 1127 & AO ROSEMONT Rosemont IL 785.25 11126 & IONOS inc. 877-4612631 PA 12.00 11/25 & FIVE CBD 855-6760226 CA 59.49 41/26 & KROGER #0528 DALLAS TX 10.98 41/27 & Burberry Ltd Rosemont IL 820.26 41/26 & 7-ELEVEN 32924 DALLAS TX 40.00 W127 & Zadig0467 Chicago Out Rosemont IL 242.14 11/26 & ARMED SERVICES YMCA ASYMCA.ORG VA 90.00 11/26 & KROGER #0528 DALLAS TX 29.30 14/26 & 7-ELEVEN...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 12
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Exhibit B: Sept 23, 2025: First confirmation from Petitioner's attorney regarding Discovery Completion Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 13
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
0442) A ail | 1417126, 944 AM Exhibit B: First Confirmation from Petitioner's Attorney Regarding Discovery Completion - [3] FW: Subject: Court-Ordered Financials Immediate Production Required... From @ Ethan Scroggins <esciogyins@sullivancock.com> vw ©3 Sep 23, 2025 To will Cook v a & Oo FYI ETHAN SCROGGINS Sullivan & Cook LLC Altforney 600 East Las Colinas Blvd, Suite 1300 Irving, TX 75039 (214) 520-7494 escroggins@sullivancook.com Mr. McKemie, The Court directed and made sure that production would be made in response to legitimate and reasonable reques...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 14
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
...bout community property and separate property in this ergail. That is a matter for the Court and an issue for final trial. Sincerely, ETHAN SCROGGINS Sullivan & Cook LLC Attorney 600 East Las Colinas Blvd, Suite 1300 Irving, TX 75039 (214) 520-7494 escroggins@sullivancook.com From: Jason McKemie <imckemie@mckemie.net> Sent: Sunday, September 21, 2025 9:32 PM To: Ethan Scroggins <escrvqains@sullivancook.com> Ce: Will Cook <wcook@sullivancook.com>; Chandler Alt <calt@sullivancook.com>; Kim Jones <jones@sullivancook.com>; Jeff Cook <icook@sullivancook.com>;...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 15
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Exhibit C: HSA compliance Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 16
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Petitioners Notice of Compliance with Court Order (Health Insurance & Health Savings Account access) CASE DF-24-18010 IN THE MATTER OF THE MARRIAGE OF GWENDOLYN ULIJASZ, Petitioner AND JASON McKEMIE, Respondent PETITIONER'S NOTICE OF COMPLIANCE WITH COURT ORDER Petitioner files this Notice to confirm compliance with the Court's order regarding reinstatement of health insurance coverage and delivery of the Health Savings Account (HSA) card. Petitioner confirms that health insurance coverage has been reinstated as directed by the Court. Petitioner was aler...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 17
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
No separate HSA portal is available for dependents to the best of Petitioner's knowledge. A portal and a password is not required to utilize the physical HSA card for qualified expenses, whether in person or online. To ensure proper documentation and avoid tax and penalties, Respondent may submit receipts for qualified medical expenses by email to Petitioner, consistent with the process previously used by the parties but in a timely manner. Petitioner requests the Court's awareness that this has been an issue in the past resulting in tax and penalities....
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 18
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Exhibit A1: and clarification from Accountability Petitioner's HR Re: (employer) Respondent's Insurance issue Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 19
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Ulijasz, Gwen From: Pott, Wynn E. Sent: Friday, December 19, 2025 1:35 PM To: Ulijasz, Gwen Subject: Benefits Coverage Hi Gwen. As we discussed, your husband (Jason McKemie) was mistakenly dropped from coverage due to a misunderstanding at our Benefits Center. It appears they thought your husband was no longer eligible for coverage, so contrary to your wishes, they terminated coverage. | have directed them to reinstate coverage, with no gap in care, and asked them to send urgent eligibility updates to our medical and pharmacy vendors. It may still take a...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 20
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Exhibit A: Proof Jason is on the HSA account Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 21
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
H story Bookmarks W ndow He p; n a an10 2:46PM TESS N mybenefits.inspirafinancial.com @ Oe A A w+© Apple Q Bing G Google Yahoo Login for Individuals | Inspira Financial Dependents Inspira Financial |s| Account Settings 03 Aetna Member Website [2 Logout @ Howe © insplraCud @ Help&Support & inspira Your Atcvms wv Alerts Aralth|Pisn Chaim 5, Forms + Health Account Saving (HSA) Dependents Account notifications This is the list of eligible dependents you think may use your Health Savings Account (HSA) funds. Health plan claims You can add, edit or remove your...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 22
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Exhibit B: New cards were needed and ordered for both parties (12/18/25) Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 23
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Ulijasz, Gwen From: Inspira <eNotify@inspirafinancial.com> Sent: Thursday, December 18, 2025 10:20 PM To: Ulijasz, Gwen Subject: [External] Inspira Financial Confirmation: Your debit card External email. Inspect before opening any links or attachments. Dear GWENDOLYN, This notice confirms we received your request for an Inspira debit card. e if you made this request, you don't need to do anything else. e If you didn't make this request, email us immediately at accountsecuritv@inspirafinancial.com. Sincerely, Inspira Financial Inspira Financial Health, In...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 24
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Exhibit C: Proof no or password anything further needed from Petitioner to use the account funds Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 25
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Safari File Edit View History Bookmarks Window Help ) ® Q & Jan 11 11:38AM $4 € > A A + mybenefits.inspirafinancial.com eC,Jr @ @ Apple Q Bing G Google Yahoo Login for Individuals Inspira Financial Frequently Asked Questions (FAQs) Inspira Financial A Member Website Account Settings B Aetna B Logout @ Home © InspiraCard @ Help&Support © FINANCIAL inspira Yoru Avert 7 your Card will De activated. After I activate my card, when can I start using it to pay for eligible expenses? You can use your card as soon as you activate it. But you'll need to have funds...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 26
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Exhibit D: Proof Jason has card use authorization Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 27
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 28
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
B® Jan10 2:51PM 8 © @ & Q View History Bookmarks Window Help ww t r Q mybenefits.inspirafinancial.com x @ Om A A & + < > Uy eeo M- é Apple Q Bing G Google Yahoo Login for Individuals Inspira Financial | | InspiraCard | Inspira Financial Account Settings Aetna Member Website CB Logout tf Home © InspiraCard @ Help&Support © -- inspira Alerts ve Account settings My Inspira Card™ My profile You can view the status of your Inspira Card. And you can order a card for your spouse or Bank accounts dependent. n O Account notifications Q Accentu re LLP ACN FSA Heal...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 29
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Exhibit E: Insurance Card and Jason has copies proof insurance (date stamp/name appears) Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 30
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
- Aetna 1/10/26, 10:00 PM ID Cards Printed 1/10/2026 RXBIN:004336 @CVS caremark vaetna RXPCN: ADV RXGRP: RX23EG Choice POS II ACCENTURE DMO MEDICAL - HEALTHFUND ID W2983 70360 Payer # 60054 0048 01 GWENDOLYN L ULIJASZ Med Grp#0867974-010-00004 Den Grp#0657455-055-00004 PCD: NO ELECTION PCP: NO ELECTION REQUIRED 02 JASON E MCKEMIE DOI-DENTAL CLAIMS ONLY PCD: NO ELECTION PCP: NO ELECTION REQUIRED First Health Network NAP Complementary MEDICAL NDIVIDUAL Tier 1 FAMILY Tier 1 INN DED $ 3600 3600 INN OOP MAX 4800 9600 OON DED $ 6000 $ 6000 OON OOP MAX 9000 180...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 31
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
- Aetna 1/10/26, 10:00 PM ID Cards Effective date: eaetna 01/01/2026 Member ID#: W2903 70360 Member: Gwendolyn L Ulijasz Group #: 0657455-055-00004 Member Services: 1-800-525-4207 http://www.aetna.cony Note: This card does not guarantee coverage AETNA P.O. BOX 14094 LEXINGTON, KY 40512-4094 Payer ID# 60054 148 https://healthaetna.com/id-cards 2/5 Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 32
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
- Aetna 1/10/26, 10:00 PM ID Cards RXBIN:004336 @CVS caremark vaetna RXPCN: ADV RXGRP: RX23EG Choice POS I! ACCENTURE DMO MEDICAL - HEALTHFUND ID W2993 70360 Payer # 60054 0048 01 GWENDOLYN L ULIJASZ Med Grp#0867974-010-00004 Den Grp#0657455-055-00004 PCD: NO ELECTION PCP: NO ELECTION REQUIRED 02 JASON E MCKEMIE DOI-DENTAL CLAIMS ONLY PCD: NO ELECTION PCP: NO ELECTION REQUIRED NAP v First Health Network MEDICAL INDIVIDUAL Tier 1 FAMILY Tier 1 INN DED $ 3600 $ 3600 INN OOP MAX 4800 9600 00N DED 6000 6000 OON OOP MAX 9000 18000 AETNA MEDICAL 1-855-240-0835...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 33
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
- Aetna 1/10/26, 10:00 PM ID Cards Effective date: eaetna 01/01/2026 Member ID#: W2903 70360 Member: Jason E Mckemie Group #: 0657455-055-00004 Member Services: 1-800-525-4207 http://www.aetna.cony Note: This card does not guarantee coverage AETNA P.O. BOX 14094 LEXINGTON, KY 40512-4094 Payer ID# 60054 148 https://healthaetna.com/id-cards AIS Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 34
FILING_STAMP_OR_ESERVICE
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
on the date and to the persons listed below. The rules governing Envelope ID: 110194281 Filing Code Description: Miscellaneous Event Filing Description: RESPODENT'S NOTICE OF DISCOVERY AND HEALTHCARE COMPLIANCE, EQUEST FOR REMOTE APPEARANCE, REQUEST FOR ACESS TO PERSONAL PROPERTY, REQUEST FOR CONSOLIDATION & HEARING LIMITS AND CASE MANAGEMENT CLARIFICATION Status as of 1/22/2026 10:36 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Jason McKemie jmckemie@mckemie.net 1/19/2026 9:02:38 AM SENT Gwendolyn Ulijasz McKemie GUlijasz@gmail.co...
#182
2026-01-15
Respondent / Jason
Motion - Miscellaneous
Page 1
PLEADING_START_FILE_MARKED
MOTION ESTABLISH CONDITIONS FOR RE-ENTRY OF COUNSEL_9FE87EA3.pdf
...ularly where Respondent is proceeding pro se under financial constraints. 3 Petitioner has previously asserted financial distress while simultaneously retaining multiple attorneys and legal staff, a circumstance inconsistent with destitution and one that materially affects parity and scheduling. 4. The Court has already identified discovery deficiencies and abated deadlines for stabilization. Clear rules governing any re-entry are necessary to prevent recurrence and protect fairness. ABATEMENT, ENFORCEMENT COMPEL DISCOVERY/REINSTATE HEALTHCARE/RESTORE ST...
#182
2026-01-15
Respondent / Jason
Motion - Miscellaneous
Page 2
EXHIBIT_START
MOTION ESTABLISH CONDITIONS FOR RE-ENTRY OF COUNSEL_9FE87EA3.pdf
Hl. LEGAL AUTHORITY The Court has inherent authority to control its docket, prevent gamesmanship, and ensure a fair trial. Conditioning the timing and consequences of counsel re-entry-without restricting the right to counsel is a proper exercise of that authority. IV. RELIEF TRIGGERED ONLY UPON REQUESTED (CONDITIONAL; RE-ENTRY) A. Disclosure & Certification (Automatic) Upon any re-entry of counsel for Petitioner, re-entering counsel shall, within 10 days, certify receipt and review of the full discovery record, all prior orders, and all pending discovery...
#182
2026-01-15
Respondent / Jason
Motion - Miscellaneous
Page 3
CERTIFICATE_OF_SERVICE
MOTION ESTABLISH CONDITIONS FOR RE-ENTRY OF COUNSEL_9FE87EA3.pdf
E. Docket Protection Against Strategic Withdrawal After re-entry, any subsequent withdrawal of Petitioner's counsel shall require leave of Court upon a showing of good cause unrelated to discovery or pretrial deadlines. The Court reserves sanctions for any violation of these conditions or renewed withdrawal/re-entry tied to discovery avoidance. V. PRAYER Respondent respectfully requests that the Court grant this Motion and sign the proposed order establishing conditions upon any re-entry of counsel for Petitioner. Respectfully submitted, Jason McKemie De...
#182
2026-01-15
Respondent / Jason
Motion - Miscellaneous
Page 4
FILING_STAMP_OR_ESERVICE
MOTION ESTABLISH CONDITIONS FOR RE-ENTRY OF COUNSEL_9FE87EA3.pdf
on the date and to the persons listed below. The rules governing Envelope ID: 110111023 Filing Code Description: Motion - Miscellaneous Filing Description: RESPONDENT'S MOTION TO ESTABLISH CONDITIONS FOR RE-ENTRY OF COUNSEL AND TO PRESERVE FAIR TRIAL PROCEDURES Status as of 1/20/2026 9:16 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Jason McKemie jmckemie@mckemie.net 1/15/2026 4:00:53 PM SENT Gwendolyn Ulijasz McKemie GUlijasz@gmail.com 1/15/2026 4:00:53 PM SENT Copy from re:SearchTX
#176
2026-01-12
Respondent / Jason
Affidavit
Page 1
PLEADING_START_FILE_MARKED
AFFIDAVIT ON PUBLIC STORAGE THEFT ACCUSATIONS AND PETITIONERS ACQUISITION OF WEAPON DURING PROCEEDIN_D8FEF4AC.pdf
1/12/2026 4:12 AM NAI| ASCO TEXAS NOTICE: DOCUMENT CONTAINS DF-24-18010 NO. SENSITIVE INFORMATION. MARRIAGE OF § § & § AFFIDAVIT OF JASON McKEMIE REGARDING PROPERTY ACCESS, MANUFACTURED ALLEGATIONS, AND ACQUISITION OF A FIREARM DURING PENDING DIVORCE PROCEEDINGS STATE OF TEXAS | COUNTY OF DALLAS BEFORE ME, the undersigned authority, on this day personally appeared Jason McKemie, who, being duly sworn, stated under oath as follows: | am the Respondent in 1. My name is Jason McKemie and my Date of Birth is April 8th, 1976. mind, competent to make this affi...
#176
2026-01-12
Respondent / Jason
Affidavit
Page 2
PLEADING_BODY
AFFIDAVIT ON PUBLIC STORAGE THEFT ACCUSATIONS AND PETITIONERS ACQUISITION OF WEAPON DURING PROCEEDIN_D8FEF4AC.pdf
6. | have not tampered with, removed, altered, or accessed any items within either storage unit | have not returned to the facility for any reason. since the date the property was separated. 7- Any suggestion or implication that personal property from the residence was removed and placed into storage is inaccurate and inconsistent with both the parties' prior agreements and the objective third-party records maintained by Public Storage. 8. Public Storage access records and video surveillance conclusively establish that the contents | have not accessed th...
#176
2026-01-12
Respondent / Jason
Affidavit
Page 3
EXHIBIT_START
AFFIDAVIT ON PUBLIC STORAGE THEFT ACCUSATIONS AND PETITIONERS ACQUISITION OF WEAPON DURING PROCEEDIN_D8FEF4AC.pdf
15. DOCUMENTED HISTORY INVOLVING PETITIONER. A certified copy of the relevant Wisconsin Circuit Court records is attached hereto as [Exhibit A]. This exhibit is provided solely to ensure accurate safety context where allegations of danger or the asserted need for armed protection are raised, and to document that such assertions are inconsistent with my history and the publicly documented record. DECLARATION | declare under penalty of perjury that the foregoing is true and correct. Executed on January 11, 2026 At 9:30pm CST son Ja McKemie PATTERN OF FALSE...
#176
2026-01-12
Respondent / Jason
Affidavit
Page 4
EXHIBIT_CONTINUATION
AFFIDAVIT ON PUBLIC STORAGE THEFT ACCUSATIONS AND PETITIONERS ACQUISITION OF WEAPON DURING PROCEEDIN_D8FEF4AC.pdf
...ry to Law Enforcement Officers, Fire Fighters or Felony Charge Dismissed but 2 940.20(2) Commission Wardens H Read In Responsible Official Prosecuting Agency Prosecuting Attorney Defense Attorney Diltz, Peter District Attorney Korb, Joan M. Meier, Rick B. Defendant Defendant Name Date of Birth Sex Race! Stathoulopoulos, Gwendolyn L 05-27-1978 Female Caucasian Address Address Updated On 1512 W Chicago Ave Apt 4, Chicago, IL 60642 09-11-2013 JUSTIS ID Finger Print ID WI1415215 Defendant Attorney(s) Attorney Name Entered Meier, Rick B. 09-17-2013 Future Cou...
#176
2026-01-12
Respondent / Jason
Affidavit
Page 5
EXHIBIT_CONTINUATION
AFFIDAVIT ON PUBLIC STORAGE THEFT ACCUSATIONS AND PETITIONERS ACQUISITION OF WEAPON DURING PROCEEDIN_D8FEF4AC.pdf
...tes Agency In the event Defendant satisfies these conditions, State will, at the end District 18 of 18 months, move to amend the criminal charge to forfeiture violation. Attorney Months Upon such amendment, amount deposited with Clerk of Court shall be taken as a total payment for this offense. Conditions Condition Time Notes Community 75 Defendant shall perform 75 hours of uncompensated service Hours community service for a not-for-profit agency or organization unrelated to the defendant or any family member, providing proof of such community service to...
#176
2026-01-12
Respondent / Jason
Affidavit
Page 6
EXHIBIT_CONTINUATION
AFFIDAVIT ON PUBLIC STORAGE THEFT ACCUSATIONS AND PETITIONERS ACQUISITION OF WEAPON DURING PROCEEDIN_D8FEF4AC.pdf
the defendant to the District Attorney's office at least thirty (30) days before the expiration of this agreement. Defendant shall provide a copy of this agreement, along with the Criminal Complaint, to any counselor and sign any and all releases necessary to allow the counselor (or agency) to report compliance or lack thereof to the District Attorney's Office. Any assessments done without this agreement and the Criminal Complaint(s) being supplied to the counselor will be considered violations of this agreement and not be accepted. This agreement may be...
#176
2026-01-12
Respondent / Jason
Affidavit
Page 7
EXHIBIT_CONTINUATION
AFFIDAVIT ON PUBLIC STORAGE THEFT ACCUSATIONS AND PETITIONERS ACQUISITION OF WEAPON DURING PROCEEDIN_D8FEF4AC.pdf
Case Details for 2013CF000126 in Door County originated. 7 of 7 Page 4 of 4 Generated on 03-19-2014 at 11:08 amCopy from re:SearchTX
#176
2026-01-12
Respondent / Jason
Affidavit
Page 8
FILING_STAMP_OR_ESERVICE
AFFIDAVIT ON PUBLIC STORAGE THEFT ACCUSATIONS AND PETITIONERS ACQUISITION OF WEAPON DURING PROCEEDIN_D8FEF4AC.pdf
on the date and to the persons listed below. The rules governing Envelope ID: 109910688 Filing Code Description: Affidavit Filing Description: AFFIDAVIT ON PUBLIC STORAGE THEFT ACCUSATIONS AND PETITIONERS ACQUISITION OF WEAPON DURING PROCEEDINGS Status as of 1/12/2026 3:43 PM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Jason McKemie jmckemie@mckemie.net 1/12/2026 4:12:09 AM SENT Gwendolyn Ulijasz McKemie GUlijasz@gmail.com 1/12/2026 4:12:09 AM SENT Copy from re:SearchTX
#174
2026-01-12
Respondent / Jason
Affidavit
Page 1
PLEADING_START_FILE_MARKED
AFFIDAVIT - MANUFACTURED ALLEGATIONS_4D770C9D.pdf
1/12/2026 4:38 AM CO TEXAS NOTICE: DOCUMENT CONTAINS DF-24-18010 NO. SENSITIVE INFORMATION. MARRIAGE OF § § & § MANUFACTURED ALLEGATIONS STATE OF TEXAS | COUNTY OF DALLAS BEFORE ME, the undersigned authority, on this day personally appeared Jason McKemie, who, being duly sworn, stated under oath as follows: | am the Respondent in 1. My name is Jason McKemie and my Date of Birth is April 8th, 1976. mind, competent to make this affidavit, and all statements herein are based on my personal knowledge and are true and correct. 2. On December 18, 2024, Gwendol...
#174
2026-01-12
Respondent / Jason
Affidavit
Page 2
PLEADING_BODY
AFFIDAVIT - MANUFACTURED ALLEGATIONS_4D770C9D.pdf
7. After entering my office, Ms. Ulijasz went up to a security camera and accused me of recording her against her will while speaking directly into a camera. This accusation was made notwithstanding the fact that the security cameras were operating in the same manner they had throughout the marriage and remained active at her own suggestion to provide transparency and reassurance. 8. Upon my return to the residence, I found this camera pulled from the wall and shattered on the floor. It appeared to have been thrown at the ground and stepped on. 9. Severa...
#174
2026-01-12
Respondent / Jason
Affidavit
Page 3
EXHIBIT_START
AFFIDAVIT - MANUFACTURED ALLEGATIONS_4D770C9D.pdf
Executed on January 11, 2026 At 10:30pm CST o J McKemie Exhibit A1 (Private Stream) Gwen Ulijasz Alleging Inappropriate Surveillance after Breaking into Locked Office Exhibit A2 (Download) Gwen Ulijasz Alleging Inappropriate Surveillance after Breaking into Locked Office Exhibit B Text Message Prior to Her Return to Residence a7 BU Dfifice stuff to work and my :::::::::::::::::::::::: lothes. I'll leave you everything :::::::::::: we can sort things out in ingmonthe. ing I'm putting in the ca Gwen, I'm not trying to lock you out of the house can have all...
#174
2026-01-12
Respondent / Jason
Affidavit
Page 4
FILING_STAMP_OR_ESERVICE
AFFIDAVIT - MANUFACTURED ALLEGATIONS_4D770C9D.pdf
on the date and to the persons listed below. The rules governing Envelope ID: 109910810 Filing Code Description: Affidavit Filing Description: AFFIDAVIT ON MANUFACTURED ALLEGATIONS & CONCERN FOR PROPERTY RETRIEVAL / CLEAN OUT Status as of 1/14/2026 3:04 PM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Jason McKemie jmckemie@mckemie.net 1/12/2026 4:38:21 AM SENT Gwendolyn Ulijasz McKemie GUlijasz@gmail.com 1/12/2026 4:38:21 AM SENT Copy from re:SearchTX
#152
2025-12-29
Respondent / Jason
Notice Of Filing IN SUPPORT OF
Page 1
PLEADING_START_FILE_MARKED
SUPPLEMENTAL SUBMISSION IN SUPPORT OF MOTION TO COMPEL_B8C5DC1A.pdf
12/29/2025 12:00 AM DALLAS CO., TEXAS DF-24-18010 NO. MARRIAGE OF § § & § SUPPLEMENT TO MOTION TO COMPEL FINANCIAL DISCOVERY COMPLIANCE NOTICE AND REQUEST FOR LEAVE TO SERVE TARGETED CUSTODIAN SUBPOENAS Appearing Pro Se, Respondent, Jason McKemie files this Motion for Leave pursuant to Texas Rule of Civil Procedure 205.3, respectfully requesting the Court's permission to serve a narrowly tailored subpoena outside the closed discovery window to obtain concealed financial records critical to the equitable resolution of this case. I. DISCOVERY COLLAPSE AND...
#152
2025-12-29
Respondent / Jason
Notice Of Filing IN SUPPORT OF
Page 2
PLEADING_BODY
SUPPLEMENTAL SUBMISSION IN SUPPORT OF MOTION TO COMPEL_B8C5DC1A.pdf
Petitioner has produced at least eight (8) different Chase Sapphire credit card numbers. Several display identical balances and transaction patterns, while others were withheld entirely or provided only in part. This creates a false impression of account diversity while obscuring actual financial activity. Chronological Tampering of Statements: Statements are presented out of sequence-bouncing between 2023 and 2025, across multiple card numbers, months, and even document types making it impossible to reconstruct timelines, trace transfers, or audit renta...
#152
2025-12-29
Respondent / Jason
Notice Of Filing IN SUPPORT OF
Page 3
PLEADING_BODY
SUPPLEMENTAL SUBMISSION IN SUPPORT OF MOTION TO COMPEL_B8C5DC1A.pdf
...esentation During Withdrawal: While formally withdrawn, Petitioner's counsel continued operating behind the scenes. Petitioner looped Respondent into communications with attorney Will Cook, demonstrating that counsel remained active during the discovery window despite having formally exited the case. This reveals strategic manipulation of court timelines and coordinated concealment. Coordinated Last-Minute Filing to Close Discovery: On the final night of discovery at approximately 11:45 p.m. Petitioner's counsel disclosures. These materials had clearly b...
#152
2025-12-29
Respondent / Jason
Notice Of Filing IN SUPPORT OF
Page 4
PLEADING_BODY
SUPPLEMENTAL SUBMISSION IN SUPPORT OF MOTION TO COMPEL_B8C5DC1A.pdf
e Subpoena Relief Justified by Ongoing Obstruction Whether this failure stems from an inability to understand the difference between a static year-end balance and actual account movement or from a willful effort to conceal financial misconduct the result is the same: key financial data remains hidden, and the discovery record is materially compromised. e Scope of This Motion Is Narrow-But Discovery Remains Unresolved: Respondent is seeking limited account information here because it relates directly to a live claim of procedural fraud involving rental pa...
#152
2025-12-29
Respondent / Jason
Notice Of Filing IN SUPPORT OF
Page 5
PLEADING_BODY
SUPPLEMENTAL SUBMISSION IN SUPPORT OF MOTION TO COMPEL_B8C5DC1A.pdf
o Explicit continuity mapping of any accounts that evolved via number reassignment, balance rollover, or relabeling 3. Transaction-Level Data For all accounts identified: o CSVor Excel format preferred o Dates, descriptions, balances, memos o Source/destination data for ACH, Zelle, wire transfers, check deposits 4. Peer-to-Peer Payments & Digital Wallets o Alltransactions through Venmo, Zelle, Apple Pay, PayPal, Cash App, or other P2P platforms linked to accounts above 5. Credit Card Specifics o All credit card accounts (Chase , Amex, Capital One, Etc.)...
#152
2025-12-29
Respondent / Jason
Notice Of Filing IN SUPPORT OF
Page 6
PLEADING_BODY
SUPPLEMENTAL SUBMISSION IN SUPPORT OF MOTION TO COMPEL_B8C5DC1A.pdf
o Transaction dates, descriptions, amounts, balances o Source/destination metadata for all ACH, Zelle, wire transfers o Any memo fields or classification codes available 3. Reconstruct account lineage, where applicable, by identifying: o Whether newer account numbers are continuations or replacements of older accounts o Dates of account openings, closures, or transfers o Any internal records showing movement of balances between accounts under different identifiers 4. Produce records related to any cash advances, credit card balance transfers, or signific...
#152
2025-12-29
Respondent / Jason
Notice Of Filing IN SUPPORT OF
Page 7
PLEADING_BODY
SUPPLEMENTAL SUBMISSION IN SUPPORT OF MOTION TO COMPEL_B8C5DC1A.pdf
Respondent asserts that this request is not intended to reopen discovery in full, but to allow targeted inspection of omitted financial evidence that has direct bearing on current property disputes, potential fraud, and pending eviction coordination. This subpoena is narrowly tailored to obtain concealed accounts and financial continuity data necessary for equitable distribution and to prevent irreversible harm from asset dissipation. See Tex. R. Civ. P. 205.3(b); see also In re Weekley Homes, L.P., 295 S.W.3d 309 (Tex. 2009) (discovery rights include ac...
#152
2025-12-29
Respondent / Jason
Notice Of Filing IN SUPPORT OF
Page 8
PLEADING_BODY
SUPPLEMENTAL SUBMISSION IN SUPPORT OF MOTION TO COMPEL_B8C5DC1A.pdf
This pattern is substantiated by the following: e Petitioner's name has been removed from active eviction proceedings despite being the sole financial guarantor on the lease for the Dallas marital residence e Petitioner's sworn testimony on January 7, 2025, that she could not afford more than $3,800/month in rent at her San Antonio residence, despite a verified compensation package exceeding $1.46 million annually e Her concealed $10,000/month contributions to the Accenture Voluntary Equity Investment Program (VEIP), which began after the standing and te...
#152
2025-12-29
Respondent / Jason
Notice Of Filing IN SUPPORT OF
Page 9
PLEADING_BODY
SUPPLEMENTAL SUBMISSION IN SUPPORT OF MOTION TO COMPEL_B8C5DC1A.pdf
...counsel in anticipation of filing for divorce. Petitioner, upon being notified of the retainer charge, falsely reported it as fraud and withheld reinstatement until her attorneys were positioned to file a protective order based on fabricated allegations. This maneuver deprived Respondent of access to legal counsel at a critical juncture and allowed Petitioner to seize procedural control by filing first a false narrative as the foundation of this case. constructing X MASSIVE MARITAL ASSET DEPLETION At the time of filing, Petitioner had already diverted $...
#152
2025-12-29
Respondent / Jason
Notice Of Filing IN SUPPORT OF
Page 10
PLEADING_BODY
SUPPLEMENTAL SUBMISSION IN SUPPORT OF MOTION TO COMPEL_B8C5DC1A.pdf
...of spousal support and legal fees) would risk reintroducing prejudicial allegations and exposing Respondent to further criminal liability. As one of Respondent's former attorneys stated, "contesting the spousal support rulings would be legal suicide." Petitioner, a highly litigious individual who has spent over $100,000 per year on litigation, has created a situation in which all marital debt and litigation costs have been shifted to Respondent. Through fraudulent filings, manipulated discovery, denial of medical access, and repeated due process violati...
#152
2025-12-29
Respondent / Jason
Notice Of Filing IN SUPPORT OF
Page 11
PLEADING_BODY
SUPPLEMENTAL SUBMISSION IN SUPPORT OF MOTION TO COMPEL_B8C5DC1A.pdf
Respondent further reserves all rights to seek full and fair remedy through all available procedural, evidentiary, and equitable means, including the right to reopen discovery, pursue sanctions, or initiate separate legal action based on any misconduct uncovered through this subpoena or previously concealed by Petitioner. V. PRAYER Respondent respectfully prays that the Court grant this Motion for Leave and permit the issuance of third-party subpoenas to JPMorgan Chase Bank, N.A. and Venmo, Inc. for the above-described financial account records. Responde...
#152
2025-12-29
Respondent / Jason
Notice Of Filing IN SUPPORT OF
Page 12
PLEADING_BODY
SUPPLEMENTAL SUBMISSION IN SUPPORT OF MOTION TO COMPEL_B8C5DC1A.pdf
e Payee or recipient if advances were transferred to third parties e Transaction metadata, including ATM withdrawal locations if applicable 5. Identify and produce and all accounts associated with Security Number xxx-xx-2457 and Date of Birth xxxx xx, 1978, regardless of the name utilized. Respectfully submitted, a Jason McKemie Pro Se Respondent 539 W Commerce St, Suite #2010 Dallas, TX 75208 (214) 868-4901 jJmckemie@mckemie.net 12 of 11 Copy from re:SearchTX
#152
2025-12-29
Respondent / Jason
Notice Of Filing IN SUPPORT OF
Page 13
FILING_STAMP_OR_ESERVICE
SUPPLEMENTAL SUBMISSION IN SUPPORT OF MOTION TO COMPEL_B8C5DC1A.pdf
on the date and to the persons listed below. The rules governing Envelope ID: 109465927 Filing Code Description: Notice Of Filing IN SUPPORT OF Filing Description: SUPPLEMENTAL SUBMISSION MOTION TO COMPEL (REQUEST FOR CUSTODIAN CONTINUITY RECORDS / SUBPOENA LEAVE) Status as of 12/29/2025 11:12 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Jason McKemie jmckemie@mckemie.net 12/26/2025 11:48:54 PM SENT Gwendolyn Ulijasz gulijasz@gmail.com 12/26/2025 11:48:54 PM SENT JASON EMORYMCKEMIE jason@callvital.com 12/26/2025 11:48:54 PM SENT Co...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 1
PLEADING_START_FILE_MARKED
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
12/29/2025 12:00 AM DALLAS CO., TEXAS DF-24-18010 RULES OF CIVIL PROCEDURE AND NO. COURTS INHERENT AUTHORITY THE MARRIAGE OF & SEALED SUBMISSION FOR IN CAMERA REVIEW URGENT: TIME SENSITIVE MOTION Submitted to: The Honorable Sandra Jackson Jason McKemie, Respondent (Pro Se) $39 W Commerce St., STE. # 2010 Dallas, TX 75208 jmckemie@mckemie.net | (214) 868-4901 - SEALED SUBMISSION IN CAMERA REVIEW ONLY DO NOT DOCKET FOR PUBLIC VIEW OR RELEASE TO OTHER PARTIES ABSENT COURT ORDER. Sealed submission; request in camera review prior to any disclosure; do not rel...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 2
PLEADING_BODY
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
DF-24-18010 RULES OF CIVIL PROCEDURE AND NO. COURTS INHERENT AUTHORITY THE MARRIAGE OF § § & § SEALED SUBMISSION FOR IN CAMERA REVIEW - SEALED SUBMISSION REQUEST FOR IN CAMERA REVIEW PRIOR TO ANY DISCLOSURE Respondent submits this packet for in camera review and requests it be handled as sealed and not made available on the public docket or to any other party absent Court order. This request is made pursuant to Tex. R. Civ. P. 76a (Sealing Court Records), including Tex. R. Civ. P. 76a(2)(a)(1) (in-camera filings solely to obtain a ruling on discoverabili...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 3
PLEADING_BODY
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
DF-24-18010 RULES OF CIVIL PROCEDURE AND NO. COURTS INHERENT AUTHORITY THE MARRIAGE OF § § & § MOTION FOR PSYCHIATRIC EXAMINATION OF PETITIONER MOTION FOR PSYCHIATRIC EVALUATION OF PETITIONER Contains confidential psychiatric, mental health, and privileged material submitted for in camera judicial review only. Not for public docket or disclosure to opposing counsel absent Court order. TO THE HONORABLE JUDGE OF THE 302ND DISTRICT COURT: Respondent, Jason McKemie, appearing pro se, respectfully files this submission under seal for in camera review. This mo...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 4
PLEADING_BODY
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
DF-24-18010 RULES OF CIVIL PROCEDURE ANO NO COURTS INHERENT AUTHORITY IN THE MATTER OF IN THE OISTRICT COURT THE GWENDOLYN ULUASZMCKE MIE 302™sUDICIAL DISTRICT a MOTION FOR PSYCOLOGICAL EXAMINATION FOR IN CAMERA REVIEW STATEMENT OF CIRCUMSTANCES Petitioner has placed her mental and emotional condition directly in controversy by asserting a $50,000 claim for Intentional Infliction of Emotional Distress ("IIED") against Respondent. Independent, third-party records - including two life insurance denials from The Hartford and MetLife citing an undisclosed DS...