DF-24-18010 Litigation Record Search

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Certified financials

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 13 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
...hing 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 occurred after months of financial, resource, healthcare, and litigation obstruction. This coordinated clean-out followed the illegal modification of a Texas state lease through a lease buyout modification that was concealed until Applicant showed contradictions that forced its disclosure during the October 31, 2025...

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RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL

# 2026-06-15 Respondent / Jason Motion - Recuse Page 6 EXHIBIT_START
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
StatusHigh confidenceNeeds category review
...ontrol the narrative, invade Jason's privacy, monitor his property, attack his credibility, and then ask the Court to shift fees or wipe out Jason's estate interest. The financial productions remain structurally unusable. Prior filings document missing months, missing pages, mixed-year page inserts, one-day snapshots masquerading as statements, reissued card numbers, missing account continuity, missing source records, and discovery responses that recited Bates ranges without curing the defects. No decree can be safely signed on this financial record. Vil...

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REQUEST FOR DE NOVO HEARING; OBJECTIONS TO ASSOCIATE JUDGE'S REPORT; REQUEST TO STAY ENTRY AND EFFECT OF REPORT PENDING DE NOVO REVIEW; REQUEST FOR EMERGENCY SETTING BEFORE REFERRING COURT; AND REQUEST FOR ADEQUATE EVIDENTIARY TIME, COURT REPORTER, EXHIBIT ADMISSION, WITNESS TESTIMONY, AND WRITTEN RULINGS

# 2026-06-04 Court REQUEST FOR DE NOVO HEARING Page 56 EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
StatusHigh confidenceNeeds category review
...mber 29, 2025 - Supplemental Submission in Support of Motion to Compel; January 8, 2026 - Proposed Order on Motion to Compel; January 20, 2026 - noncompliance concerning certified financial production; February 2, 2026 - Motion to Compel Complete Financials; February 5, 2026 - repeated noncompliance concerning certified financial production; February 10, 2026 - proposed verification/status orders; May 26, 2026 - present Motion for Enforcement, Sanctions, Continuance, and Leave. Petitioner and counsel were told exactly what was missing. Petitioner and cou...

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REQUEST FOR DE NOVO HEARING; OBJECTIONS TO ASSOCIATE JUDGE'S REPORT; REQUEST TO STAY ENTRY AND EFFECT OF REPORT PENDING DE NOVO REVIEW; REQUEST FOR EMERGENCY SETTING BEFORE REFERRING COURT; AND REQUEST FOR ADEQUATE EVIDENTIARY TIME, COURT REPORTER, EXHIBIT ADMISSION, WITNESS TESTIMONY, AND WRITTEN RULINGS

# 2026-06-04 Court REQUEST FOR DE NOVO HEARING Page 71 EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
StatusHigh confidenceNeeds category review
...omplete financial disclosure. Respondent further advised Judge Jackson that there could be no fair trial absent: 1. Third-party subpoena authority; 2. Institution-origin certified financial statements; 3. Aneutral forensic accountant to reconstruct the estate. Judge Jackson stated she could not grant subpoena authority at that procedural setting but assured Respondent that he would have ninety (90) days with certified financials to prepare. When Respondent expressed concern that prior counsel had obstructed discovery in District 254, Judge Jackson replie...

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REQUEST FOR DE NOVO HEARING; OBJECTIONS TO ASSOCIATE JUDGE'S REPORT; REQUEST TO STAY ENTRY AND EFFECT OF REPORT PENDING DE NOVO REVIEW; REQUEST FOR EMERGENCY SETTING BEFORE REFERRING COURT; AND REQUEST FOR ADEQUATE EVIDENTIARY TIME, COURT REPORTER, EXHIBIT ADMISSION, WITNESS TESTIMONY, AND WRITTEN RULINGS

# 2026-06-04 Court REQUEST FOR DE NOVO HEARING Page 72 EXHIBIT_START
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
StatusHigh confidenceNeeds category review
...volving layered transfers and rotating credit facilities; e Aneutral forensic tracing mechanism remained necessary. The Associate Judge permitted withdrawal. No complete certified financial production followed. Il. WHAT OCCURRED AFTER THE NINETY-DAY ASSURANCE What followed was not compliance with a directive for complete, certified financials. Instead, the production record reflects: Monthly statements missing transaction-detail pages (see Exhibit A deficiency chart); Editable CSV or activity exports substituted for institution-issued monthly statements;...

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REQUEST FOR DE NOVO HEARING; OBJECTIONS TO ASSOCIATE JUDGE'S REPORT; REQUEST TO STAY ENTRY AND EFFECT OF REPORT PENDING DE NOVO REVIEW; REQUEST FOR EMERGENCY SETTING BEFORE REFERRING COURT; AND REQUEST FOR ADEQUATE EVIDENTIARY TIME, COURT REPORTER, EXHIBIT ADMISSION, WITNESS TESTIMONY, AND WRITTEN RULINGS

# 2026-06-04 Court REQUEST FOR DE NOVO HEARING Page 93 EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
StatusHigh confidenceNeeds category review
...irective and he agreed. | requested that Judge Jackson further stated that although she could not grant the relief day, | should have a minimum of 90 days with complete, certified financials before trial exhibits were due. | told her that timeline would materially assist me. That 90-day window never materialized. | immediately provided opposing counsel with a Following Judge Jackson's directive, detailed list of every missing page, missing month, missing account, and continuity failure, along with a full deficiency inventory and demonstratives. In respon...

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REQUEST FOR DE NOVO HEARING; OBJECTIONS TO ASSOCIATE JUDGE'S REPORT; REQUEST TO STAY ENTRY AND EFFECT OF REPORT PENDING DE NOVO REVIEW; REQUEST FOR EMERGENCY SETTING BEFORE REFERRING COURT; AND REQUEST FOR ADEQUATE EVIDENTIARY TIME, COURT REPORTER, EXHIBIT ADMISSION, WITNESS TESTIMONY, AND WRITTEN RULINGS

# 2026-06-04 Court REQUEST FOR DE NOVO HEARING Page 95 EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
StatusHigh confidenceNeeds category review
...in records will allow accurate evaluation of the marital estate. IV. REQUEST FOR RELIEF | respectfully request that the Court: 1 Grant this Motion and recognize that the financial disclosures produced to date are materially incomplete and unusable; 2. Acknowledge that further supplementation cannot cure the structural defects documented in this Motion; 3. Preserve my right to immediately seek thirdparty subpoenas for native, institution- issued financial statements and transaction histories; 4. Set a short deadline for any remaining documents Petitioner...

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REQUEST FOR DE NOVO HEARING; OBJECTIONS TO ASSOCIATE JUDGE’S REPORT; REQUEST TO STAY ENTRY AND EFFECT OF REPORT PENDING DE NOVO REVIEW; REQUEST FOR EMERGENCY SETTING BEFORE REFERRING COURT; AND REQUEST FOR ADEQUATE EVIDENTIARY TIME, COURT REPORTER, EXHIBIT ADMISSION, WITNESS TESTIMONY, AND WRITTEN RULINGS

# 2026-06-04 Court REQUEST FOR DE NOVO HEARING Page 56 EXHIBIT_CONTINUATION
DF-24-18010 - Respondent's De Novo Hearing Request (CMP) (3).pdf
StatusHigh confidenceNeeds category review
...29, 2025 — Supplemental Submission in Support of Motion to Compel; • January 8, 2026 — Proposed Order on Motion to Compel; • January 20, 2026 — noncompliance concerning certified financial production; • February 2, 2026 — Motion to Compel Complete Financials; • February 5, 2026 — repeated noncompliance concerning certified financial production; • February 10, 2026 — proposed verification/status orders; • May 26, 2026 — present Motion for Enforcement, Sanctions, Continuance, and Leave. • Petitioner and counsel were told exactly what was missing. • Petiti...

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REQUEST FOR DE NOVO HEARING; OBJECTIONS TO ASSOCIATE JUDGE’S REPORT; REQUEST TO STAY ENTRY AND EFFECT OF REPORT PENDING DE NOVO REVIEW; REQUEST FOR EMERGENCY SETTING BEFORE REFERRING COURT; AND REQUEST FOR ADEQUATE EVIDENTIARY TIME, COURT REPORTER, EXHIBIT ADMISSION, WITNESS TESTIMONY, AND WRITTEN RULINGS

# 2026-06-04 Court REQUEST FOR DE NOVO HEARING Page 71 EXHIBIT_CONTINUATION
DF-24-18010 - Respondent's De Novo Hearing Request (CMP) (3).pdf
StatusHigh confidenceNeeds category review
...omplete financial disclosure. Respondent further advised Judge Jackson that there could be no fair trial absent: 1. Third-party subpoena authority; 2. Institution-origin certified financial statements; 3. A neutral forensic accountant to reconstruct the estate. Judge Jackson stated she could not grant subpoena authority at that procedural setting but assured Respondent that he would have ninety (90) days with certified financials to prepare. When Respondent expressed concern that prior counsel had obstructed discovery in District 254, Judge Jackson repli...

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REQUEST FOR DE NOVO HEARING; OBJECTIONS TO ASSOCIATE JUDGE’S REPORT; REQUEST TO STAY ENTRY AND EFFECT OF REPORT PENDING DE NOVO REVIEW; REQUEST FOR EMERGENCY SETTING BEFORE REFERRING COURT; AND REQUEST FOR ADEQUATE EVIDENTIARY TIME, COURT REPORTER, EXHIBIT ADMISSION, WITNESS TESTIMONY, AND WRITTEN RULINGS

# 2026-06-04 Court REQUEST FOR DE NOVO HEARING Page 72 EXHIBIT_START
DF-24-18010 - Respondent's De Novo Hearing Request (CMP) (3).pdf
StatusHigh confidenceNeeds category review
...olving layered transfers and rotating credit facilities; • A neutral forensic tracing mechanism remained necessary. The Associate Judge permitted withdrawal. No complete certified financial production followed. III. WHAT OCCURRED AFTER THE NINETY-DAY ASSURANCE What followed was not compliance with a directive for complete, certified financials. Instead, the production record reflects: • Monthly statements missing transaction-detail pages (see Exhibit A deficiency chart); • Editable CSV or activity exports substituted for institution-issued monthly statem...

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REQUEST FOR DE NOVO HEARING; OBJECTIONS TO ASSOCIATE JUDGE’S REPORT; REQUEST TO STAY ENTRY AND EFFECT OF REPORT PENDING DE NOVO REVIEW; REQUEST FOR EMERGENCY SETTING BEFORE REFERRING COURT; AND REQUEST FOR ADEQUATE EVIDENTIARY TIME, COURT REPORTER, EXHIBIT ADMISSION, WITNESS TESTIMONY, AND WRITTEN RULINGS

# 2026-06-04 Court REQUEST FOR DE NOVO HEARING Page 93 EXHIBIT_CONTINUATION
DF-24-18010 - Respondent's De Novo Hearing Request (CMP) (3).pdf
StatusHigh confidenceNeeds category review
...ductions — simply restating the same GU000001-GU001668 materials I had already audited and identified as incomplete. No new statements, no missing pages, and no corrected financials were provided. The only documents produced after the Court's directive were two pages, not two statements, each containing identical transactions but labeled with different months, indicating that one or both were altered. No further documents have been produced. Following this, opposing counsel again withdrew, Petitioner again refused to declare herself, and I still do not ha...

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RESPONDENT’S REPLY IN SUPPORT OF ENFORCEMENT, SANCTIONS, CONTINUANCE, AND LEAVE; OBJECTION TO PETITIONER’S BAD-FAITH PROTECTIVE ORDER AND FEE REQUEST; AND REQUEST FOR SANCTIONS, SHOW-CAUSE, COUNSEL CERTIFICATION, FEE SHIFTING, FORENSIC ACCOUNTING, ESTATE RECONSTITUTION, DISPROPORTIONATE DIVISION, AND SOURCE-RECORD VERIFICATION

# 2026-06-01 Respondent / Jason Response Page 5 PROPOSED_ORDER_OR_ORDER
RESPONSE TO PETITIONER (FNL)_17D5B70E.pdf
StatusHigh confidenceNeeds category review
...29, 2025 — Supplemental Submission in Support of Motion to Compel; • January 8, 2026 — Proposed Order on Motion to Compel; • January 20, 2026 — noncompliance concerning certified financial production; • February 2, 2026 — Motion to Compel Complete Financials; • February 5, 2026 — repeated noncompliance concerning certified financial production; • February 10, 2026 — proposed verification/status orders; • May 26, 2026 — present Motion for Enforcement, Sanctions, Continuance, and Leave. • Petitioner and counsel were told exactly what was missing. • Petiti...

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RESPONDENT’S REPLY IN SUPPORT OF ENFORCEMENT, SANCTIONS, CONTINUANCE, AND LEAVE; OBJECTION TO PETITIONER’S BAD-FAITH PROTECTIVE ORDER AND FEE REQUEST; AND REQUEST FOR SANCTIONS, SHOW-CAUSE, COUNSEL CERTIFICATION, FEE SHIFTING, FORENSIC ACCOUNTING, ESTATE RECONSTITUTION, DISPROPORTIONATE DIVISION, AND SOURCE-RECORD VERIFICATION

# 2026-06-01 Respondent / Jason Response Page 20 EXHIBIT_CONTINUATION
RESPONSE TO PETITIONER (FNL)_17D5B70E.pdf
StatusHigh confidenceNeeds category review
...omplete financial disclosure. Respondent further advised Judge Jackson that there could be no fair trial absent: 1. Third-party subpoena authority; 2. Institution-origin certified financial statements; 3. A neutral forensic accountant to reconstruct the estate. Judge Jackson stated she could not grant subpoena authority at that procedural setting but assured Respondent that he would have ninety (90) days with certified financials to prepare. When Respondent expressed concern that prior counsel had obstructed discovery in District 254, Judge Jackson repli...

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RESPONDENT’S REPLY IN SUPPORT OF ENFORCEMENT, SANCTIONS, CONTINUANCE, AND LEAVE; OBJECTION TO PETITIONER’S BAD-FAITH PROTECTIVE ORDER AND FEE REQUEST; AND REQUEST FOR SANCTIONS, SHOW-CAUSE, COUNSEL CERTIFICATION, FEE SHIFTING, FORENSIC ACCOUNTING, ESTATE RECONSTITUTION, DISPROPORTIONATE DIVISION, AND SOURCE-RECORD VERIFICATION

# 2026-06-01 Respondent / Jason Response Page 21 EXHIBIT_START
RESPONSE TO PETITIONER (FNL)_17D5B70E.pdf
StatusHigh confidenceNeeds category review
...olving layered transfers and rotating credit facilities; • A neutral forensic tracing mechanism remained necessary. The Associate Judge permitted withdrawal. No complete certified financial production followed. III. WHAT OCCURRED AFTER THE NINETY-DAY ASSURANCE What followed was not compliance with a directive for complete, certified financials. Instead, the production record reflects: • Monthly statements missing transaction-detail pages (see Exhibit A deficiency chart); • Editable CSV or activity exports substituted for institution-issued monthly statem...

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RESPONDENT’S REPLY IN SUPPORT OF ENFORCEMENT, SANCTIONS, CONTINUANCE, AND LEAVE; OBJECTION TO PETITIONER’S BAD-FAITH PROTECTIVE ORDER AND FEE REQUEST; AND REQUEST FOR SANCTIONS, SHOW-CAUSE, COUNSEL CERTIFICATION, FEE SHIFTING, FORENSIC ACCOUNTING, ESTATE RECONSTITUTION, DISPROPORTIONATE DIVISION, AND SOURCE-RECORD VERIFICATION

# 2026-06-01 Respondent / Jason Response Page 42 EXHIBIT_CONTINUATION
RESPONSE TO PETITIONER (FNL)_17D5B70E.pdf
StatusHigh confidenceNeeds category review
...ductions — simply restating the same GU000001-GU001668 materials I had already audited and identified as incomplete. No new statements, no missing pages, and no corrected financials were provided. The only documents produced after the Court's directive were two pages, not two statements, each containing identical transactions but labeled with different months, indicating that one or both were altered. No further documents have been produced. Following this, opposing counsel again withdrew, Petitioner again refused to declare herself, and I still do not ha...

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Petitioner-controlled production. The underlying records, statements, productions, and available source materials are identified and will be made available for inspection as required. DF-24-18010 Motion for Enforcement, Sanctions, Continuance, & Leave Page 1 of 1

# 2026-06-01 Respondent / Jason EXHIBITS LIST Page 25 EXHIBIT_CONTINUATION
PROPOSED ORDERS AND SUBPOENAS.pdf
StatusHigh confidenceNeeds category reviewCompanion-based
9. GLU Distribution LLC • Banking records • Financial statements • Accounting records • Tax records • Source records 10. Landlords, Property Managers, Property Custodians, and Related Payment Custodians • Rent ledgers • Lease records • Buyout records • Payoff records • Payment histories 11. All Individuals, Family Members, Friends, Business Associates, Entities, or Financial Institutions Alleged to Have Made Loans, Advances, Gifts, Transfers, or Financial Contributions to Petitioner 12. All Persons or Entities Involved in the April 16, 2026 Writ, Propert...

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Petitioner-controlled production. The underlying records, statements, productions, and available source materials are identified and will be made available for inspection as required. DF-24-18010 Motion for Enforcement, Sanctions, Continuance, & Leave Page 1of1 Copy from re:SearchTX

# 2026-06-01 Respondent / Jason EXHIBITS LIST Page 25 EXHIBIT_CONTINUATION
EXHIBIT INDEX_B73549A6.pdf
StatusHigh confidenceNeeds category reviewCompanion-based
9. GLU Distribution LLC e Banking records e Financial statements e Accounting records e Tax records e Source records 10. Landlords, Property Managers, Property Custodians, and Related Payment Custodians e Rent ledgers e Lease records e Buyout records e Payoff records e Payment histories 11. All Individuals, Family Members, Friends, Business Associates, Entities, or Financial Institutions Alleged to Have Made Loans, Advances, Gifts, Transfers, or Financial Contributions to Petitioner 12. All Persons or Entities Involved in the April 16, 2026 Writ, Propert...

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RESPONDENT’S REPLY IN SUPPORT OF ENFORCEMENT, SANCTIONS, CONTINUANCE, AND LEAVE; OBJECTION TO PETITIONER’S BAD-FAITH PROTECTIVE ORDER AND FEE REQUEST; AND REQUEST FOR SANCTIONS, SHOW-CAUSE, COUNSEL CERTIFICATION, FEE SHIFTING, FORENSIC ACCOUNTING, ESTATE RECONSTITUTION, DISPROPORTIONATE DIVISION, AND SOURCE-RECORD VERIFICATION

# 2026-06-01 Respondent / Jason Response Page 5 PROPOSED_ORDER_OR_ORDER
DF-24-18010 - RESPONSE TO PETITIONER (FNL).pdf
StatusHigh confidenceNeeds category review
...29, 2025 — Supplemental Submission in Support of Motion to Compel; • January 8, 2026 — Proposed Order on Motion to Compel; • January 20, 2026 — noncompliance concerning certified financial production; • February 2, 2026 — Motion to Compel Complete Financials; • February 5, 2026 — repeated noncompliance concerning certified financial production; • February 10, 2026 — proposed verification/status orders; • May 26, 2026 — present Motion for Enforcement, Sanctions, Continuance, and Leave. • Petitioner and counsel were told exactly what was missing. • Petiti...

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RESPONDENT’S REPLY IN SUPPORT OF ENFORCEMENT, SANCTIONS, CONTINUANCE, AND LEAVE; OBJECTION TO PETITIONER’S BAD-FAITH PROTECTIVE ORDER AND FEE REQUEST; AND REQUEST FOR SANCTIONS, SHOW-CAUSE, COUNSEL CERTIFICATION, FEE SHIFTING, FORENSIC ACCOUNTING, ESTATE RECONSTITUTION, DISPROPORTIONATE DIVISION, AND SOURCE-RECORD VERIFICATION

# 2026-06-01 Respondent / Jason Response Page 20 EXHIBIT_CONTINUATION
DF-24-18010 - RESPONSE TO PETITIONER (FNL).pdf
StatusHigh confidenceNeeds category review
...omplete financial disclosure. Respondent further advised Judge Jackson that there could be no fair trial absent: 1. Third-party subpoena authority; 2. Institution-origin certified financial statements; 3. A neutral forensic accountant to reconstruct the estate. Judge Jackson stated she could not grant subpoena authority at that procedural setting but assured Respondent that he would have ninety (90) days with certified financials to prepare. When Respondent expressed concern that prior counsel had obstructed discovery in District 254, Judge Jackson repli...

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RESPONDENT’S REPLY IN SUPPORT OF ENFORCEMENT, SANCTIONS, CONTINUANCE, AND LEAVE; OBJECTION TO PETITIONER’S BAD-FAITH PROTECTIVE ORDER AND FEE REQUEST; AND REQUEST FOR SANCTIONS, SHOW-CAUSE, COUNSEL CERTIFICATION, FEE SHIFTING, FORENSIC ACCOUNTING, ESTATE RECONSTITUTION, DISPROPORTIONATE DIVISION, AND SOURCE-RECORD VERIFICATION

# 2026-06-01 Respondent / Jason Response Page 21 EXHIBIT_START
DF-24-18010 - RESPONSE TO PETITIONER (FNL).pdf
StatusHigh confidenceNeeds category review
...olving layered transfers and rotating credit facilities; • A neutral forensic tracing mechanism remained necessary. The Associate Judge permitted withdrawal. No complete certified financial production followed. III. WHAT OCCURRED AFTER THE NINETY-DAY ASSURANCE What followed was not compliance with a directive for complete, certified financials. Instead, the production record reflects: • Monthly statements missing transaction-detail pages (see Exhibit A deficiency chart); • Editable CSV or activity exports substituted for institution-issued monthly statem...

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RESPONDENT’S REPLY IN SUPPORT OF ENFORCEMENT, SANCTIONS, CONTINUANCE, AND LEAVE; OBJECTION TO PETITIONER’S BAD-FAITH PROTECTIVE ORDER AND FEE REQUEST; AND REQUEST FOR SANCTIONS, SHOW-CAUSE, COUNSEL CERTIFICATION, FEE SHIFTING, FORENSIC ACCOUNTING, ESTATE RECONSTITUTION, DISPROPORTIONATE DIVISION, AND SOURCE-RECORD VERIFICATION

# 2026-06-01 Respondent / Jason Response Page 42 EXHIBIT_CONTINUATION
DF-24-18010 - RESPONSE TO PETITIONER (FNL).pdf
StatusHigh confidenceNeeds category review
...ductions — simply restating the same GU000001-GU001668 materials I had already audited and identified as incomplete. No new statements, no missing pages, and no corrected financials were provided. The only documents produced after the Court's directive were two pages, not two statements, each containing identical transactions but labeled with different months, indicating that one or both were altered. No further documents have been produced. Following this, opposing counsel again withdrew, Petitioner again refused to declare herself, and I still do not ha...

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SUPPLEMENTAL NOTICE AND MOTION FOR MAY 21 HEARING

# 2026-05-15 Filer unknown Notice Of Hearing / Fiat 21 HEARING Page 4 PLEADING_BODY
SUPPLEMENTAL NOTICE OF TRIAL READINESS ETC_5EBF9125.pdf
StatusHigh confidenceNeeds category review
...ng, publishing, summarizing, quoting, excerpting, selectively preserving, selectively destroying, or using any data, files, records, videos, photographs, communications, financial records, medical records, litigation materials, professional materials, creative materials, or work product taken from or concerning Respondent. 31. Respondent requests a sworn inventory and chain-of-custody disclosure within 24 hours identifying every person or entity who accessed, handled, possessed, transported, copied, imaged, viewed, searched, stored, uploaded, downloaded,...

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SUPPLEMENTAL NOTICE AND MOTION FOR MAY 21 HEARING

# 2026-05-15 Filer unknown Notice Of Hearing / Fiat 21 HEARING Page 8 EXHIBIT_CONTINUATION
SUPPLEMENTAL NOTICE OF TRIAL READINESS ETC_5EBF9125.pdf
StatusHigh confidenceNeeds category review
.... Respondent requests immediate monetary sanctions, fee shifting, reimbursement, and non-offset emergency relief. 62. Grounds include discovery noncompliance, incomplete certified financial production, healthcare noncompliance, evidence theft, April 16 property/evidence destruction, missing trial-preparation materials, vendor nondisclosure, witness-interference risk, and conduct impairing Respondent's ability to prepare for trial. 63 Respondent requests that any emergency stabilization payment, fee-advancement payment, healthcare- enforcement payment, sa...

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SUPPLEMENTAL NOTICE AND MOTION FOR MAY 21 HEARING

# 2026-05-15 Filer unknown Notice Of Hearing / Fiat 21 HEARING Page 9 EXHIBIT_CONTINUATION
SUPPLEMENTAL NOTICE OF TRIAL READINESS ETC_5EBF9125.pdf
StatusHigh confidenceNeeds category review
...t administrator access; 5. order immediate preservation and non-use of all April 16 evidence, devices, data, hard drives, computers, storage media, litigation materials, financial records, cloud records, copies, images, backups, exports, metadata, and chain-of-custody records; 6. order sworn inventory and chain-of-custody disclosure within 24 hours; 7. order neutral forensic sequestration, imaging, preservation, and return; 8. authorize targeted third-party subpoenas to financial institutions, benefits administrators, vendors, investigators, cyber/reputa...

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RESPONDENT MCKEMIE § DALLAS COUNTY, TEXAS RESPONDENT'S SUPPLEMENTAL EMERGENCY MOTION FOR INTERIM STABILIZATION, HEALTHCARE ENFORCEMENT, CASE MGMT, AND OBJECTION TO PHV ADMISSION

# 2026-05-12 Respondent / Jason Motion - Miscellaneous Page 1 PLEADING_START_FILE_MARKED
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
StatusHigh confidenceNeeds category review
...nt, and trial readiness have been addressed. This Supplemental Motion does not replace or duplicate Respondent's Emergency Motion for Written Discovery Rulings, rulings, certified financial discovery, third-party subpoena leave, preservation, chain-of-custody, and April 16 evidence issues. This filing addresses the emergency issues that must be addressed immediately: survival stabilization, healthcare enforcement, fee parity, trial capacity, and whether pro hac vice admission should be denied or deferred pending hearing. ll. EMERGENCY SUMMARY Respondent...

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RESPONDENT MCKEMIE § DALLAS COUNTY, TEXAS RESPONDENT'S SUPPLEMENTAL EMERGENCY MOTION FOR INTERIM STABILIZATION, HEALTHCARE ENFORCEMENT, CASE MGMT, AND OBJECTION TO PHV ADMISSION

# 2026-05-12 Respondent / Jason Motion - Miscellaneous Page 14 EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
StatusHigh confidenceNeeds category review
...hing 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 occurred after months of financial, resource, healthcare, and litigation obstruction. This coordinated clean-out followed the illegal modification of a Texas state lease through a lease buyout modification that was concealed until Applicant showed contradictions that forced its disclosure during the October31, 2025 h...

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RESPONDENT MCKEMIE § DALLAS COUNTY, TEXAS RESPONDENT'S EMERGENCY MOTION FOR WRITTEN DISCOVERY RULINGS, SUBPOENA LEAVE, EVIDENCE PRESERVATION, AND IMMEDIATE HEARING

# 2026-05-11 Respondent / Jason Motion - Miscellaneous Page 1 PLEADING_START_FILE_MARKED
MOTION WRITTTEN DISCOVERY RULINGS ETC_D0F7BBA4.pdf
StatusHigh confidenceNeeds category review
...F SAID COURT: | , Respondent McKemie, Respondent pro se, files this Emergency Motion to Convert Prior Motion-to- Compel Compliance Hearings Into Written Rulings, Enforce Certified Financial Discovery, Grant Leave to Issue Third-Party Subpoenas, Preserve Evidence, and Set Immediate Hearing, and respectfully shows the Court as follows: I. EMERGENCY SUMMARY 1. Trial is approaching, and the thirty-day pretrial deadline is imminent. 2. Petitioner continues to claim compliance and trial readiness, but complete certified financial discovery has not been produce...

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RESPONDENT MCKEMIE § DALLAS COUNTY, TEXAS RESPONDENT'S EMERGENCY MOTION FOR WRITTEN DISCOVERY RULINGS, SUBPOENA LEAVE, EVIDENCE PRESERVATION, AND IMMEDIATE HEARING

# 2026-05-11 Respondent / Jason Motion - Miscellaneous Page 2 EXHIBIT_START
MOTION WRITTTEN DISCOVERY RULINGS ETC_D0F7BBA4.pdf
StatusHigh confidenceNeeds category review
...exhibit repositories used to organize that evidence are missing, stolen, destroyed, damaged, or inaccessible. 7. Petitioner should not be permitted to withhold complete certified financial records, benefit from the destruction or removal of Respondent's evidence repositories, and then argue trial should proceed because deadlines have passed. 8. The emergency is not ordinary delay. The emergency is that the record is incomplete, the prior compliance issues remain unresolved in enforceable written form, and Respondent's ability to rebuild the record has b...

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RESPONDENT MCKEMIE § DALLAS COUNTY, TEXAS RESPONDENT'S EMERGENCY MOTION FOR WRITTEN DISCOVERY RULINGS, SUBPOENA LEAVE, EVIDENCE PRESERVATION, AND IMMEDIATE HEARING

# 2026-05-11 Respondent / Jason Motion - Miscellaneous Page 3 EXHIBIT_CONTINUATION
MOTION WRITTTEN DISCOVERY RULINGS ETC_D0F7BBA4.pdf
StatusHigh confidenceNeeds category review
16. The marital estate cannot be fairly divided without complete, certified, institution-origin financial records. 17. Respondent requests an order requiring Petitioner to produce, within three calendar days, complete certified financial records including: a. complete monthly statements, all pages, for every bank account, credit card, brokerage account, investment account, retirement account, HSA, FSA, reimbursement account, business account, trust account, payroll account, benefit account, and financial account used, controlled, accessed, funded, or ben...

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RESPONDENT MCKEMIE § DALLAS COUNTY, TEXAS RESPONDENT'S EMERGENCY MOTION FOR WRITTEN DISCOVERY RULINGS, SUBPOENA LEAVE, EVIDENCE PRESERVATION, AND IMMEDIATE HEARING

# 2026-05-11 Respondent / Jason Motion - Miscellaneous Page 7 EXHIBIT_CONTINUATION
MOTION WRITTTEN DISCOVERY RULINGS ETC_D0F7BBA4.pdf
StatusHigh confidenceNeeds category review
...ediate hearing; 2. Enter written rulings converting the prior District 302 motion-to-compel and compliance- hearing record into enforceable written rulings; 3. Find that certified financial discovery remains incomplete unless Petitioner proves full compliance with institution-origin records; 4. Order Petitioner to produce complete certified financials within three calendar days; 5. Order Petitioner to provide a production map identifying every account, date range, Bates range, missing month, missing page, account transition, and custodian source; 6. Gran...

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RESPONDENT MCKEMIE § DALLAS COUNTY, TEXAS RESPONDENT'S EMERGENCY MOTION FOR WRITTEN DISCOVERY RULINGS, SUBPOENA LEAVE, EVIDENCE PRESERVATION, AND IMMEDIATE HEARING

# 2026-05-11 Respondent / Jason Motion - Miscellaneous Page 8 EXHIBIT_CONTINUATION
MOTION WRITTTEN DISCOVERY RULINGS ETC_D0F7BBA4.pdf
StatusHigh confidenceNeeds category review
...erse inference, contempt, exclusion, fee-shifting, reimbursement, evidentiary presumptions, and disproportionate-division relief; 12. Continue or abate trial if complete certified financials, third-party subpoenas, and evidence preservation/return cannot be completed in time for a fair trial; 13. Grant all other relief to which Respondent is entitled. Best Regards, Jason McKemie 539 W. Commerce St. #2010 Dallas, TX 75208 jmckemie@mckemie.net (214) 868-4901 My name is Jason McKemie. My date of birth is April 8, 1976. My address is 539 W Commerce St, Ste 2...

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RESPONDENT MCKEMIE § DALLAS COUNTY, TEXAS RESPONDENT'S EMERGENCY MOTION FOR WRITTEN DISCOVERY RULINGS, SUBPOENA LEAVE, EVIDENCE PRESERVATION, AND IMMEDIATE HEARING

# 2026-05-11 Respondent / Jason Motion - Miscellaneous Page 10 CERTIFICATE_OF_CONFERENCE
MOTION WRITTTEN DISCOVERY RULINGS ETC_D0F7BBA4.pdf
StatusHigh confidenceNeeds category review
...CONFERENCE discovery remains incomplete, prior compliance issues require written rulings, third-party subpoenas are necessary for estate verification, and evidence repositories/hard drives were stolen, removed, damaged, or made inaccessible after the April 16 event. Respondent has attempted or will attempt to confer with counsel regarding immediate hearing availability and preservation of evidence. Given the imminent trial deadline and preservation risk, Respondent files this motion immediately to preserve rights and prevent further prejudice. -- _ Jason...

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ORDER AUTHORIZING THE REMOTE TESTIMONY OF CHRISTOPHER MCNALLY &OVERRULING WITNESS-STRIKE OBJECTIONS

#201 2026-02-23 Respondent / Jason Notice Of Filing Page 1 PLEADING_START_FILE_MARKED
PETITIONER'S AMENDED PROPOSED PROPERTY DIVISION_A9877658.pdf
ConfirmedHealthcare
StatusRespondent pleading: no ruling made / no hearing
...ion of her separate property as reflected in her Feb 2026 updated Inventory and Appraisement, including all accounts established prior to marriage and documented through financial statements provided to the Court. 4. In adherence with the 254" Court's January 2025 Order that each Party shall pay their own expenses without exception from that time forward, and additionally in line with the 302"4 Court's Jan 2026 review and upholding of the same Order: Petitioner will pay her own credit card current balances currently outstanding. Respondent will pay his o...
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FOR REMOTE TESTIMONY OF WITNESS CHRISTOPHER MCNALLY BY VIDEOCONFERENCE AND TO OVERRULE WITHNESS-STRIKE

#203 2026-02-23 Filer unknown Motion - Miscellaneous Page 2 PLEADING_BODY
MOTION-MISCELLANEOUS_31C12B2D.pdf
StatusHigh confidenceNeeds category review
hearing on the January 12, 2026 Order Compelling Production of Certified Financials, held on February 5, 2026, at which Petitioner was again found noncompliant. When Petitioner requested that Movant's disclosed witness be struck based on generalized safety concerns, the Court made clear, in substance, that courtroom security measures were more than adequate to address any safety concerns and that generalized allegations do not justify striking a properly disclosed witness from testifying when called. 4. Relevance of testimony to credibility, timeline, an...

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EMERGENCY VERIFIED MOTION TO CONTINUE OR ABATE BENCH TRIAL

#199 2026-02-20 Respondent / Jason Notice Of Filing Page 3 PLEADING_BODY
EMERGENCY VERIFIED MOTION TO CONTINUE OR ABATE BENCH TRIAL_109EBB73.pdf
ConfirmedHealthcareEmergencyDiscovery ViolationsFinancial ReliefParity / Status QuoMedical Risk
...hether compliance has occurred. IV. THIRD STOP BUTTON: THE FINANCIAL DISCOVERY RECORD IS FACIALLY NONCOMPLIANT AND INDICATES MATERIAL FALSITY / FRAUD UPON THE COURT The "certified financials" in front of this Court are not merely incomplete. They are facially noncompliant and structurally defective in a manner that indicates material falsity and/or fraud Copy from re:SearchTX
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EMERGENCY VERIFIED MOTION TO CONTINUE OR ABATE BENCH TRIAL

#199 2026-02-20 Respondent / Jason Notice Of Filing Page 4 PLEADING_BODY
EMERGENCY VERIFIED MOTION TO CONTINUE OR ABATE BENCH TRIAL_109EBB73.pdf
ConfirmedHealthcareEmergencyDiscovery ViolationsFinancial ReliefParity / Status QuoMedical Risk
...nvestments as "tax withholding" and other categorization tactics that materially distort income and estate valuation. Relief requested: Written findings that party-only "certified financials" are not reliable for trial; authorization for limited third-party subpoenas for institution-origin records and continuity mapping; and an enforcement/sanctions setting addressing noncompliance and material falsity. - verify via This is how you "call it by name" while staying bulletproof: objective indicators custodians - enforce. V. CONTINUED MEDICAL HARM AND NONCOM...
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NOTICE OF PRESERVATION OF WITNESSES, & LARGE DISCOVERY PRODUCTION IN FINAL HOUR

#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
ConfirmedDiscovery ViolationsDue Process FailuresFalse NarrativesAttorney Gamesmanship
...the eve of exhibit deadlines; and (3) requesting a continuance consistent with the Court's prior statements allowing Respondent reasonable time to prepare for trial once certified financial discovery is complete. This filing is not offered as merits brief and is intended solely to preserve procedural rights and prevent prejudice. I. NOTICE OF LATE AND ONGOING DISCOVERY PRODUCTION Petitioner has begun producing a significant volume of discovery documents immediately prior to the exhibit deadline. While Respondent will review and evaluate the materials in...
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NOTICE OF PRESERVATION OF WITNESSES, & LARGE DISCOVERY PRODUCTION IN FINAL HOUR

#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
ConfirmedDiscovery ViolationsDue Process FailuresFalse NarrativesAttorney Gamesmanship
...OR COURT STATEMENTS At the prior pre-trial hearing, the Court indicated that Respondent would be afforded reasonable time approximately 90 days to prepare for trial once certified financial discovery is complete. Given: e the timing and volume of current production, e the need for account tracing and third-party subpoenas, e pending findings of the federal bankruptcy trustee, e pending ERISA/QLE determinations affecting healthcare, e and Respondent's ongoing medical instability and need to undergo surgery, Respondent respectfully requests a continuance c...
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RESPONDENT'S EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER

# 2026-01-12 Respondent / Jason Application - Temporary Restraining Order Page 11 EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER_7476D473.pdf
StatusHigh confidenceNeeds category review
...am: Petitioner reported substantial VEIP contributions during the pendency of this case, these investments were incorrectly labeled as "extra tax withholding" within the certified financial disclosures provided by Sullivan & Cook. Petitioner testified on or about October 31, 2025 that she ceased and/or withdrew from VEIP. This leaves two mutually exclusive outcomes as follows: DF-24-18010 11 of 13 Copy from re:SearchTX

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FNL DF-24-18010 - MOTION - TRO.pdf copy

# 2026-01-12 Respondent / Jason Application - Temporary Restraining Order Page 11 EXHIBIT_CONTINUATION
FNL DF-24-18010 - MOTION - TRO.pdf copy.pdf
StatusHigh confidenceNeeds category review
...: § Petitioner reported substantial VEIP contributions during the pendency of this case, these investments were incorrectly labeled as “extra tax withholding” within the certified financial disclosures provided by Sullivan & Cook. § Petitioner testified on or about October 31, 2025 that she ceased and/or withdrew from VEIP. § This leaves two mutually exclusive outcomes as follows: DF-24-18010 11 of 13

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EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER

#165 2026-01-12 Respondent / Jason Application - Temporary Restraining Order Page 11 EXHIBIT_CONTINUATION
EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER_7476D473.pdf
ConfirmedHealthcareEmergencyDanger / High Risk
StatusEmergency motion / stabilization required
...am: Petitioner reported substantial VEIP contributions during the pendency of this case, these investments were incorrectly labeled as "extra tax withholding" within the certified financial disclosures provided by Sullivan & Cook. Petitioner testified on or about October 31, 2025 that she ceased and/or withdrew from VEIP. This leaves two mutually exclusive outcomes as follows: DF-24-18010 11 of 13 Copy from re:SearchTX
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APPLICATION FOR EMERGENCY TRO

#171 2026-01-12 Respondent / Jason Application - Temporary Restraining Order Page 11 EXHIBIT_CONTINUATION
APPLICATION FOR EMERGENCY TRO_5E6686B8.pdf
ConfirmedHealthcareEmergencyDiscovery ViolationsDue Process Failures
StatusEmergency motion / stabilization required
...am: Petitioner reported substantial VEIP contributions during the pendency of this case, these investments were incorrectly labeled as "extra tax withholding" within the certified financial disclosures provided by Sullivan & Cook. Petitioner testified on or about October 31, 2025 that she ceased and/or withdrew from VEIP. This leaves two mutually exclusive outcomes as follows: DF-24-18010 Copy from re:SearchTX
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ORDER ON EMERGENCY TRO

#161 2026-01-08 Respondent / Jason Miscellaneous Event Page 1 PLEADING_START_FILE_MARKED
NOTICE OF VOL COMPLIANCE & OBJ TO POST-CUTOFF SUBPOENA WITHOUT PRIOR REQUEST_DCE3B3A3.pdf
ConfirmedHealthcareDiscovery ViolationsDue Process FailuresDanger / High Risk
StatusEmergency motion / stabilization required
...g information for a 29-month period (Aug. 1, 2023 through Dec. 31, 2025), plus private mailbox scan images for 2024-2025. attention should remain on compelling complete, certified financial disclosures and continuity records, rather than permitting new post-cutoff fishing expeditions. DF-24-18010 1 of 2 Copy from re:SearchTX
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MOTION FOR LEAVE TO CONDUCT LIMITED POST-CUTOFF

#156 2026-01-05 Respondent / Jason Motion - Leave Page 2 PLEADING_BODY
PETITIOMNER'S MOTION FOR LEAVE TO CONDUCT LIMITED POST-CUTOFF_8CFBE77B.pdf
StatusHigh confidenceNeeds category reviewEmergency motion / stabilization required
...in time and scope, for the purposes of: a. Identifying and classifying significant amount of property purchased via Respondent's Amazon and Apple accounts; b. Verifying financial activity already disclosed in Respondent's 2025 sworn Inventory and Appraisements; c. Assessing credibility and completeness of Respondent's disclosures; and d. Restoring access to information from which Petitioner was excluded. III. SPECIFIC THIRD-PARTY RECORDS SOUGHT 8. Petitioner seeks leave to issue subpoenas for the following records, attached as Proposed Exhibits A-C: A....

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MOTION FOR LEAVE TO CONDUCT LIMITED POST-CUTOFF

# 2026-01-05 Respondent / Jason Motion - Leave Page 2 PLEADING_BODY
MOTION FOR LEAVE TO CONDUCT LIMITED POST-CUTOFF_8CFBE77B.pdf
StatusHigh confidenceNeeds category review
...in time and scope, for the purposes of: a. Identifying and classifying significant amount of property purchased via Respondent's Amazon and Apple accounts; b. Verifying financial activity already disclosed in Respondent's 2025 sworn Inventory and Appraisements; c. Assessing credibility and completeness of Respondent's disclosures; and d. Restoring access to information from which Petitioner was excluded. III. SPECIFIC THIRD-PARTY RECORDS SOUGHT 8. Petitioner seeks leave to issue subpoenas for the following records, attached as Proposed Exhibits A-C: A....

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MOTION FOR LEAVE TO CONDUCT LIMITED POST-CUTOFF

# 2026-01-05 Respondent / Jason Motion - Leave Page 2 PLEADING_BODY
MOTION FOR LEAVE TO CONDUCT LIMITED POST-CUTOFF.pdf
StatusHigh confidenceNeeds category review
...in time and scope, for the purposes of: a. Identifying and classifying significant amount of property purchased via Respondent's Amazon and Apple accounts; b. Verifying financial activity already disclosed in Respondent's 2025 sworn Inventory and Appraisements; c. Assessing credibility and completeness of Respondent's disclosures; and d. Restoring access to information from which Petitioner was excluded. III. SPECIFIC THIRD-PARTY RECORDS SOUGHT 8. Petitioner seeks leave to issue subpoenas for the following records, attached as Proposed Exhibits A-C: A....

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MOTION - SEALED SUBMISSION FOR IN CAMERA REVIEW ONLY (CONFIDENTIAL)

#151 2025-12-29 Respondent / Jason Motion - Seal - SEALED SUBMISSION FOR IN CAMERA Page 9 EXHIBIT_START
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
ConfirmedDiscovery ViolationsFinancial ReliefFalse NarrativesMedical RiskAttorney GamesmanshipDanger / High Risk
StatusRespondent pleading: no ruling made / no hearing
...unexplained transfers to undisclosed accounts and concealment of substantial marital funds. - Exhibit 10 Accenture Payroll Deduction for VEIP - Exhibit 11- Sullivan Cook Certified Financials "Extra Tax Withholding" Exhibit 12 - VEIP Program Summary - VEIP Balance Exhibit 13 4. False Police Reports & Misuse of Law Enforcement (December 11-14, 2024) Timeline of Events December 11, 2024 - Respondent called 911 and informed the operator that he was retaining an attorney for divorce and believed his wife was preparing to file a fraudulent protective order and...
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MOTION - SEALED SUBMISSION FOR IN CAMERA REVIEW ONLY (CONFIDENTIAL)

#151 2025-12-29 Respondent / Jason Motion - Seal - SEALED SUBMISSION FOR IN CAMERA Page 17 EXHIBIT_CONTINUATION
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
ConfirmedDiscovery ViolationsFinancial ReliefFalse NarrativesMedical RiskAttorney GamesmanshipDanger / High Risk
StatusRespondent pleading: no ruling made / no hearing
...bonus. e Forbidding him from taking a $250,000 job weeks prior. e Cutting off all marital funds, leaving him with $107. e Knowing he was post-surgery and without income. Certified Financials Show: e No rent expense for San Antonio. e No Rental Reimbursements as Income. « Sullivan Cook's "bi-monthly' billing mentioned in their email does not appear anywhere. Only $30,000 paid to Sullivan & Cook out of $260,000-$480,000 billed; remainder unaccounted for. 17of 203 Copy from re:SearchTX
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MOTION - SEALED SUBMISSION FOR IN CAMERA REVIEW ONLY (CONFIDENTIAL)

#151 2025-12-29 Respondent / Jason Motion - Seal - SEALED SUBMISSION FOR IN CAMERA Page 19 EXHIBIT_START
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
ConfirmedDiscovery ViolationsFinancial ReliefFalse NarrativesMedical RiskAttorney GamesmanshipDanger / High Risk
StatusRespondent pleading: no ruling made / no hearing
...port records & investigative findings Apple/iCloud records confirming AirTag registration to Petitioner 6. Former husband's protective order filing against Petitioner 7. Certified financial disclosures by Petitioner 8. Bank records showing undisclosed transfers & mislabeled VEIP contributions 9. Photographic/documentary evidence of cosmetic procedures & luxury lodging 10. Recorded call transcripts (Dec 12, 2024) 11. Evidence 19 of 203 Copy from re:SearchTX
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ENVELOPE #109297794 DOC001

#143 2025-12-19 Respondent / Jason Motion - Compel Page 3 PLEADING_BODY
DF-24-18010 - Motion to Compell_Final (2).pdf
ConfirmedDiscovery ViolationsFalse NarrativesAttorney Gamesmanship
StatusEmergency motion / stabilization required
...ductions — simply restating the same GU000001-GU001668 materials I had already audited and identified as incomplete. No new statements, no missing pages, and no corrected financials were provided. The only documents produced after the Court's directive were two pages, not two statements, each containing identical transactions but labeled with different months, indicating that one or both were altered. No further documents have been produced. Following this, opposing counsel again withdrew, Petitioner again refused to declare herself, and I still do not ha...
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EMERGENCY M/ VACATE SETTING BEFORE ASSOCIATE JUDGE AND RESET ENFORCE

#130 2025-11-19 Court Miscellaneous Event M/ VACATE SETTING BEFORE Page 2 PROPOSED_ORDER_OR_ORDER
EMERGENCY MOTION TO VACATE SETTING BEFORE ASSOCIATE JUDGE AND RESET ENFORCEMENT_EEC608CB.pdf
ConfirmedHealthcareEmergencyDiscovery ViolationsFinancial ReliefDue Process FailuresParity / Status QuoStanding Request / Court ReporterFalse NarrativesMedical RiskAttorney GamesmanshipDanger / High Risk
StatusEmergency motion / stabilization required
...on request). Il. APPLICATION A. On September 9, 2025, Judge Sandra Jackson twice directed Petitioner's counsel, on the record, to produce complete, sequential, custodian-certified financial statements (bank/broker/credit) from June 2023 forward. Under Leal and Joyner, those oral directives were a binding rendition controlling until Judge Jackson modifies them. B. Opposing counsel has not complied. Instead, counsel: (a) attempted to route enforcement to the associate judge; (b) sought to withdraw without first curing non-compliance; and (c) tendered alter...
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JUDICIAL NOTICE OF UNRULED MOTIONS REQUIRING DETERMINATION PRIOR TO ANY PRETRIAL HEARING, TRIAL, OR FINAL O

#105 2025-08-07 Respondent / Jason Miscellaneous Event Page 4 PLEADING_BODY
JUDICIAL NOTICE OF UNRULED MOTIONS REQUIRING DETERMINATION PRIOR TO ANY PRETRIAL HEARING, TRIAL,_A068582A.pdf
StatusHigh confidenceNeeds category reviewEmergency motion / stabilization required
...standing and temporary orders) which yields an annual return over 50%. 7. These investments are falsely classifying those contributions as "extra tax withholding" on her certified financial statements. This is an egregious act of intentional misrepresentation, designed to conceal assets, evade responsibility, and further isolate Respondent financially. 8. These acts are not accidental. They represent a pattern of sustained financial and procedural abuse, Certified and Endorsed by Sullivan & Cook, who have approved and advanced these misrepresentations de...

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

#098 2025-07-24 Respondent / Jason Motion - Miscellaneous Page 7 PLEADING_BODY
EMERGENCY MOTION FOR IMMEDIATE RELIEF, OBJECTION TO TRIAL, AND REQUEST FOR ACKNOWLEDGEMENT_1B9D26DD.pdf
ConfirmedHealthcareEmergencyDiscovery ViolationsFinancial ReliefDue Process FailuresParity / Status QuoMedical RiskAttorney GamesmanshipDanger / High Risk
StatusEmergency motion / stabilization required
...ed a closed-loop of procedural denial, fully exploited by Sullivan & Cook, to prevent: e Emergency relief e Discovery enforcement e Financial access e Judicial review of certified financial misconduct Vil. DISCOVERY FAILURE AND CERTIFIED FRAUD Respondent served discovery in good faith. Petitioner refused to respond. 15 minutes before the deadline to Sullivan & Cook LLP withdrew, only to re-enter object to all requests. Respondent received no usable financial data - only redacted screenshots lacking balances or metadata. Numerous known accounts remain con...
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REQUEST FOR EMERGENCY HEARING TO PREVENT EVICTION DURING MEDICAL HARDSHIP WITH DECLARATION AND WITNESS

#083 2025-07-11 Respondent / Jason Notice Of Filing Page 14 EXHIBIT_CONTINUATION
REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS_A0893DA3.pdf
ConfirmedHealthcareEmergencyDiscovery ViolationsFinancial ReliefDue Process FailuresParity / Status QuoFalse NarrativesMedical RiskAttorney Gamesmanship
StatusEmergency motion / stabilization required
...ng Input (Response Requested by 2:30 PM} Importance: High Ethan, The hearing request will seek: e Emergency temporary relief to prevent eviction and restore the standard financial procedures followed during the marriage e Afollow-up hearing to be set within 21 days to address spousal support, legal fees, reimbursement, and sanctions for ongoing compliance violations This initial hearing will address only temporary financial relief necessary to avoid immediate harm. The broader financial matters will be handled separately with full evidentiary presentatio...
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2025-07-11 els Exhibit List

# 2025-07-11 Filer unknown Exhibit Page 1 PLEADING_START
2025-07-11 els Exhibit List.pdf
StatusHigh confidenceNeeds category review
THE MARRIAGE OF § § AND § WIFE’S EXHIBIT LIST NO. DESCRIPTION O A 1. Wife’s Current Inventory and Appraisement 2. Proof of Marriage 3. Wife’s Separate Property Advantigen Shares 4. Wife’s Separate Property Advantigen Shares Previous Statements and Tracing 5. Wife’s Separate Property AIG 401(k) Current Statement 6. Wife’s Separate Property AIG 401(k) Previous Statements and Tracing 7. Wife’s Separate Property Ameriprise Roth IRA and Traditional IRA Current Statement 8. Wife’s Separate Property Ameriprise Roth IRA and Traditional IRA Previous Statements an...

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Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None.

# 2025-07-11 Petitioner / Gwendolyn Filing Page 1 PLEADING_START
2025-07-11 First Amended Inventory and Appraisement.pdf
StatusHigh confidenceNeeds category review
...r rights, groundwater rights, crop share leases, hunting leases, wind power leases, solar power leases, timber rights, and so forth) 3.1. None. 4. Cash and Accounts with Financial Institutions (include cash, traveler’s checks, money orders, and accounts with commercial banks, savings banks, credit unions, and funds on deposit with attorneys and other third parties; exclude accounts with brokerage houses and all retirement accounts) 4.1. Name of financial institution: Chase Bank 1

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Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None.

# 2025-07-11 Petitioner / Gwendolyn Filing Page 2 PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
StatusHigh confidenceNeeds category review
...Checking Name(s) on withdrawal cards: Gwendolyn Ulijasz & Jason McKemie Current account balance (as of 7/11/2025): $398 Source(s) of value/balance: Statement 4.2 Name of financial institution: Chase Bank Account name: Gwendolyn Ulijasz Account number: x3898 Type of account: Checking Name(s) on withdrawal cards: Gwendolyn Ulijasz Current account balance (as of 5/27/2025): $0 Source(s) of value/balance: Statement 4.3 Name of financial institution: Chase Bank Account name: Gwendolyn Ulijasz Account number: x9259 Type of account: Checking Name(s) on withdraw...

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Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None.

# 2025-07-11 Petitioner / Gwendolyn Filing Page 3 PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
StatusHigh confidenceNeeds category review
Current account balance (as of 6/30/2025): $212 Source(s) of value/balance: Statement 4.5 Name of financial institution: USAA Account name: Gwendolyn Ulijasz and Jason McKemie Account number: TBD Type of account: Checking Name(s) on withdrawal cards: Gwendolyn Ulijasz Current account balance (as of 1/3/2025): $100 Source(s) of value/balance: Statement prior to lockout. 4.6 Name of financial institution: Chase Account number: x7496 Type of account: Checking Name(s) on withdrawal cards: Gwendolyn Ulijasz Current account balance (as of 7/11/2025): $82 Sourc...

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Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None.

# 2025-07-11 Petitioner / Gwendolyn Filing Page 4 PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
StatusHigh confidenceNeeds category review
7.A. Stock Options (include all stock options, whether exercisable, nonexercisable, vested, nonvested, transferable, or nontransferable, regardless of any restrictions on transfer, but if the stock was once an option and is currently owned without restrictions, list that stock under section 5.) 7.B. Restricted Stock (include all restricted stock awards and restricted stock units regardless of any restrictions on transfer, but if the stock was once restricted and is currently owned without restrictions, list that stock under section 5.) 7.B.1. Name of com...

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Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None.

# 2025-07-11 Petitioner / Gwendolyn Filing Page 5 PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
StatusHigh confidenceNeeds category review
...24 Vesting schedule: Only matched if shares purchased and held through year. Current stock price: $384.95 Value of community interest: TBD Source(s) of value: Accenture Paystubs 8. Bonuses (gross of tax) 8.1. Name of company: Accenture; Signing Bonus; Spouse earning bonus: Gwendolyn Ulijasz Date bonus expected to be paid: November 2025 Time period covered by bonus: Nov. 1, 2025 through Aug. 31, 2025 Anticipated amount of bonus: $150,000 Source(s) of value: Contract, signing bonus; 8.2. Name of company: Accenture; Global Annual Bonus; Spouse earning bonu...

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Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None.

# 2025-07-11 Petitioner / Gwendolyn Filing Page 6 PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
StatusHigh confidenceNeeds category review
Source(s) of value: Contract; Ineligible because of hire date 9. Closely Held Business Interests (include sole proprietorships, professional practices, corporations, partnerships, limited liability companies and partnerships, joint ventures, and other nonpublicly traded business entities) 9.1. None. 10. Retirement Benefits 10.A. Defined Contribution Plans (a plan that provides for an individual account for a participant and for benefits based solely on the amount contributed to the participant’s account; IRC §§ 401(k), 403(b)) 10.A.1. Exact name of plan:...

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Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None.

# 2025-07-11 Petitioner / Gwendolyn Filing Page 7 PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
StatusHigh confidenceNeeds category review
...service, teacher, railroad, state, and local) 10.F.1. None. 11. Other Deferred Compensation Benefits (e.g., worker’s compensa- tion, disability benefits, other “special payments,” and any other forms of compensation) 11.1. None. 12. Insurance and Annuities 12.A. Life Insurance 12.A.1. Name of insurance company: The Hartford Insurance Group Policy number: TBD Name of insured: Gwendolyn Ulijasz Name of owner: Gwendolyn Ulijasz Type of insurance: ADD Supplemental Policy Amount of premiums [monthly/quarterly/ semiannually]: TBD Date of issue: 2023 Face amou...

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Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None.

# 2025-07-11 Petitioner / Gwendolyn Filing Page 8 PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
StatusHigh confidenceNeeds category review
Balance of loan against policy: $0 Value of community interest: $0, term policy Source(s) of value: Paystubs; 12.A.2. Name of insurance company: Accenture Policy number: TBD Name of insured: Gwendolyn Ulijasz Name of owner: Gwendolyn Ulijasz Type of insurance: Term Life Amount of premiums [monthly/quarterly/ semiannually]: TBD Date of issue: 10/16/2024 Face amount: $1,500,000 Cash surrender value on date of marriage: 0 Current cash surrender value: 0 Designated beneficiary(ies): Jason McKemie Balance of loan against policy: $0 Value of community interest...

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Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None.

# 2025-07-11 Petitioner / Gwendolyn Filing Page 9 PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
StatusHigh confidenceNeeds category review
...lue of assets in account (as of 7/11/2025): $0 12.D.2. Institution holding account: Alight FSA Account number: Value of assets in account (as of 7/11/2025): $3,000 13. Motor Vehicles, Boats, Airplanes, Cycles, Etc. (include mobile homes, trailers, and recreational vehicles, but do not include vehicles owned by a business entity) 13.1. Year: 2023 Make: BMA Model: M340xi Name on title: Gwendolyn Ulijasz In possession of: Gwendolyn Ulijasz Vehicle identification number: 3MW49FF07P8C9022 Name of creditor if loan against vehicle: InTouch Credit Union Current...

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Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None.

# 2025-07-11 Petitioner / Gwendolyn Filing Page 10 PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
StatusHigh confidenceNeeds category review
14. Money Owed to Me or My Spouse (do not include any expected federal or state income tax refund or receivables connected with a business entity) 14.1. Name of debtor: Christopher Steven McNally Debtor’s relationship to you: Ex-Partner Is debt evidenced in writing? Yes Is debt secured? No. Cannot collect as debtor lives out of the country. Current loan amount owed (as of 7/11/2025): $20,000 but practical value is $0. Source(s) of value: Court order for Ex Partner’s Harassment 15. Household Furniture, Furnishings, and Fixtures - Remaining Personal Proper...

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Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None.

# 2025-07-11 Petitioner / Gwendolyn Filing Page 11 PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
StatusHigh confidenceNeeds category review
Gwendolyn Ulijasz: Macbook/Dell Laptop/Bluetooth Speaker/Four Phones TBD Source(s) of value: Credit Card Statements 16.2. In possession of Jason McKemie (attach separate sheet if necessary): Description and value of each item in possession of Jason McKemie: TBD Source(s) of value: 17. Antiques, Artwork, and Collections (include any works of art, such as paintings, tapestry, rugs, and coin or stamp collections) 17.1. In possession of Gwendolyn Ulijasz: no community. 17.2. In possession of Jason McKemie (attach separate sheet if necessary): Description and...

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Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None.

# 2025-07-11 Petitioner / Gwendolyn Filing Page 12 PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
StatusHigh confidenceNeeds category review
...ttach separate sheet if necessary): Description and value of each item in possession of Jason McKemie: TBD 1 small circular diamond necklace Source(s) of value: 20. Livestock and Pets (include cattle, horses, frozen semen or embryos, dogs, cats, and so forth) 20.1. In possession of Gwendolyn Ulijasz (attach separate sheet if necessary): Description and value of each item in possession of Gwendolyn Ulijasz: Chihuahua Dog - Katie $0 Source(s) of value: 20.2. In possession of Jason McKemie (attach separate sheet if necessary): Description and value of each...

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Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None.

# 2025-07-11 Petitioner / Gwendolyn Filing Page 13 PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
StatusHigh confidenceNeeds category review
...forth), licenses, crops, farm equipment, construction equipment, tools, leases, cemetery lots, gold or silver coins not part of a collection described elsewhere in this inventory, estimated tax payments, tax overpayments, loss carry-forward deductions, lottery tickets/winnings, stadium bonds, stadium seat licenses, seat options, season tickets, ranch brands, and business names) 23.A.1. In possession of Gwendolyn Ulijasz (attach separate sheet if necessary): None. 23.A.2. In possession of Jason McKemie (attach separate sheet if necessary): None. 23.B. Di...

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Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None.

# 2025-07-11 Petitioner / Gwendolyn Filing Page 14 PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
StatusHigh confidenceNeeds category review
...made: TBD 23.D.3. Income tax carryover/carryforward Applicable income tax year: Amount of income tax carryover/carryforward: TBD 24. Safe-Deposit Boxes 24.1. None. 25. Storage Facilities 14

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Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None.

# 2025-07-11 Petitioner / Gwendolyn Filing Page 15 PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
StatusHigh confidenceNeeds category review
25.1. Name and location: Public Storage Unit number: 3131 Terms and length of lease: TBD Names of persons with access to contents: Jason McKemie Items in storage unit: Furniture (Gwen &Jason’s both , all pre-purchased before the couple met); Tools – some Jason’s , and some Gwen’s Audio equipment Gwen’s heirlooms, Skis Holiday decorations Photos and memorabilia TBD Value(s) of items in storage unit: TBD Source(s) of value: 26. Community Claims for Reimbursement 26.1. Reimbursement claim against Gwendolyn Ulijasz’s separate estate: None. 26.2. Reimbursemen...

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Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None.

# 2025-07-11 Petitioner / Gwendolyn Filing Page 16 PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
StatusHigh confidenceNeeds category review
...owned before marriage or assets acquired during marriage by gift or inheritance or as a result of personal injury; may include real property, mineral interests, cash and financial accounts, brokerage and mutual fund accounts, stocks, bonds, other securities, stock options, bonuses, closely held business interests, retirement benefits, deferred compensation benefits, insurance and annuities, vehicles, boats, airplanes, cycles, notes receivable, household furnishings, electronics, antiques, art, miscellaneous sporting goods and firearms, jewelry and other...

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Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None.

# 2025-07-11 Petitioner / Gwendolyn Filing Page 17 PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
StatusHigh confidenceNeeds category review
...f 6/30/24): $121,271 Payee of survivor benefits: Jason Designated beneficiary(ies): Jason 100% Current Balance (as of 6/20/2025): $117,987 29.C. IRA/SEP 29. C.1. Name of financial institution: Ameriprise Financial Account name: Gwendolyn Ulijasz Roth IRA Account number: 6811 1 133 Payee of survivor benefits: Jason McKemie Designated beneficiary(ies): Jason McKemie Current account balance (as of 5/31/2025): $146,516 Value of community interest (as of 7/11/2025): $0 Source(s) of value: Statements 29.C.2. Name of financial institution: Ameriprise Financial...

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Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None.

# 2025-07-11 Petitioner / Gwendolyn Filing Page 18 PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
StatusHigh confidenceNeeds category review
Account number: 7988 2 133 Payee of survivor benefits: Jason McKemie Designated beneficiary(ies): Jason McKemie Current account balance (as of 5/31//2025): $287,771 Value of community interest (as of 7/11/2025): $0 Source(s) of value: Statements 29.D Jewelry and Other Personal Items 29.D.1. In possession of Gwendolyn Ulijasz (attach separate sheet if necessary): Description and value of each item in possession of Gwendolyn Ulijasz: Wedding Ring 5 pieces of gold jewelry purchased in the Middle East; 2 pairs diamond cuff earrings, 1 Omega watch, 1 string g...

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Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None.

# 2025-07-11 Petitioner / Gwendolyn Filing Page 19 PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
StatusHigh confidenceNeeds category review
32. Liabilities of Jason McKemie’s Separate Estate 32.1 Unknown. Sole and Joint Liabilities 33. Credit Cards and Charge Accounts 33.1. Name of creditor: American Express Account number: x6008 Cardholder(s)/Authorized user(s): Gwendolyn Ulijasz Person(s) liable on account: Current balance (as of 2/9/2025): <$0> Balance on date of marriage: <$0> Balance as of date of separation: <$TBD> Source(s) of balance: TBD 33.2. Name of creditor: JP Morgan Chase Bank Account number: x4005 Cardholder(s)/Authorized user(s): Gwendolyn Ulijasz Person(s) liable on account:...

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Petitioner, submits this inventory and appraisement of all assets and liabilities, community and separate estates, as follows: Community Estate of the Parties 1. Real Property (include any property purchased by contract for deed, such as Texas Veterans Land Board property, property purchased in recreational developments, and time-shares) 1.1. None.

# 2025-07-11 Petitioner / Gwendolyn Filing Page 20 PLEADING_BODY
2025-07-11 First Amended Inventory and Appraisement.pdf
StatusHigh confidenceNeeds category review
...25 Person(s) liable for tax: Likely tax due for Jason’s HSA issues. Jason’s Tax Lien been severely under withholding. Amount owed: <$TBD> Source(s) of amount owed: 35. Attorney’s Fees in This Case 35.A. Gwendolyn Ulijasz 35.A.1. Amount owed by Gwendolyn Ulijasz: <$TBD> 35.B. Jason McKemie 35.B.1. Amount owed by Jason McKemie: <$TBD> 36. Contingent Liabilities (e.g., lawsuit against either party, guaranty either party may have signed) 39.1. Name of creditor: Person(s) liable: Gwen Amount of contingent liability: $100,000 bonus clawback Nature of contingen...

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