All topics
Danger / High Risk
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 1
PLEADING_START_FILE_MARKED
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
...to enforce the Court's healthcare reinstatement order. Absent immediate intervention, Respondent faces ongoing medical crisis, repeated emergency-room treatment, and the risk that proceeding to trial or evento divorce will sever healthcare indications at a moment of documented life-threatening vulnerability. Il. FACTUAL BACKGROUND ABATEMENT, ENFORCEMENT COMPEL DISCOVERY/REINSTATE HEALTHCARE/RESTORE STATUS QUO DF-24-18010 1 of 10 Copy from re:SearchTX
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 2
PLEADING_BODY
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
1. Medical Emergency o Respondent has documented congestive heart failure and is currently undergoing emergency-level medical treatment requiring uninterrupted access to prescribed medications. 2. Existing Healthcare Order o The Court previously ordered full reinstatement of healthcare, including functional access to HSA/FSA benefits. 3. Ongoing Noncompliance with Healthcare Order o Despite the Order, Respondent has experienced: » Nearly one year without HSA card access; « Presentation of a deactivated HSA card by Petitioner at the Motion to Compel heari...
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 3
PLEADING_BODY
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
...dent is not medically capable of completing trial exhibits or proceeding to bench trial without medical and financial stabilization. o Proceeding to divorce at this time risks severing healthcare during a documented medical emergency. Ill. ISSUE ONE: ABATEMENT OF TRIAL, EXHIBITS, AND BENCH TRIAL IS REQUIRED A. Medical Impossibility and Irreparable Harm Respondent's medical condition is documented by treating physicians and emergency-room providers. He is currently dependent on emergency measures that must be renewed every 24 hours due to lack of stable m...
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 4
PLEADING_BODY
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
Proceeding with trial preparation under these conditions is medically impossible and risks irreversible harm. B. Healthcare Severance Risk Proceeding to divorce at this juncture would terminate dependent healthcare, creating an imminent risk that is: e foreseeable, « documented, e and directly attributable to Petitioner's delay and interference. The Court cannot force Respondent into a procedural posture that itself triggers life-threatening harm. C. Bankruptcy Preemption and Fair Trial Concerns The bankruptcy trustee's investigation necessarily overlaps...
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 5
PLEADING_BODY
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
Petitioner was ordered to produce a production map and complete, traceable financial records. She has not done so. B. Structural Inadequacy of Party Production Petitioner's financial structure includes: e multiple cards per account, e multiple payments per cycle, e and transaction washing that obscures continuity. Accordingly: Even if Petitioner were to produce every statement in her possession, such production would still not comply with the Court's prior discovery order because the financial record has been rendered non- reconstructable without third-p...
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 6
PROPOSED_ORDER_OR_ORDER
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
This is enforcement, not fault-finding. B. Narrow, Emergency Scope Respondent seeks only: e QLE submissions affecting dependent coverage; e associated uploads, attestations, and audit logs; e eligibility determinations and communications with benefits vendors. Requested Relief (Issue Three): 1. Authorization and issuance of a subpoena duces tecum to Accenture HR / Plan Administrator; 2. Short compliance deadline; 3. Objections preserved for de novo review, but production not stayed. VI. PRESERVATION OF RIGHTS AND DE NOVO REVIEW Respondent expressly prese...
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 7
CERTIFICATE_OF_SERVICE
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
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 12, 2026, by electronic filing & email. 06 JASON MCKEMIE ABATEMENT, ENFORCEMENT COMPEL DISCOVERY/REINSTATE HEALTHCARE/RESTORE STATUS QUO DF-24-18010 7 of 10 Copy from re:SearchTX
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 8
PLEADING_BODY
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
...de, and Potassium supplementation, due to lack of access to his insurance/HSA. In my medical opinion, interruption of these medications places Mr. McKemie at significant risk of acute decompensated heart failure, electrolyte imbalance, and hospitalization. Immediate and uninterrupted access to these medications is medically necessary to reduce risk of serious harm. This letter is provided to document medical necessity and risk associated with continued interruption of care. Provider Signature: Date/Time: ' \ Copy from re:SearchTX
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 9
PLEADING_BODY
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
...rt failure and cardiomyopathy. It is medically necessary that he maintain uninterrupted access to his prescribed medications to manage these conditions and to reduce the risk of exacerbation or other serious complications. Mr. McKemie reports that he no longer has access to his HSA (Health Savings Account) Card. Jason has used this card to pay copays for nearly two years. He recently lost his employment and is experiencing financial hardship, and access to this card is necessary for him to afford prescription medications and related medical care. Sincere...
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 10
PLEADING_BODY
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
...heart failure and cardiomyopathy. It is medically necessary that he remain uninterrupted on his prescription medications to manage his medical conditions and reduce the risk of future complications or exacerbations. He reports that access to his Health Savings Account (HSA) is necessary for him to continue to afford his prescription medications and related medical care. Sincerely, Evan Dittmar, MD Copy from re:SearchTX
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 11
FILING_STAMP_OR_ESERVICE
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
on the date and to the persons listed below. The rules governing Envelope ID: 110069888 Filing Code Description: Motion - Miscellaneous Filing Description: Status as of 1/22/2026 8:14 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Jason McKemie jmckemie@mckemie.net 1/14/2026 11:40:30 PM SENT Gwendolyn Ulijasz McKemie GUlijasz@gmail.com 1/14/2026 11:40:30 PM SENT Copy from re:SearchTX
#165
2026-01-12
Respondent / Jason
Application - Temporary Restraining Order
Page 1
PLEADING_START_FILE_MARKED
EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER_7476D473.pdf
1/12/2026 3:52 AM DALLAS CO., TEXAS NO. DF-24-18010 NOTICE: THIS DOCUMENT CONTAINS SENSITIVE MATERIALS THE MARRIAGE OF § § GWENDOLVN ULIJASZ § 302"? jupiciAL DISTRICT & § APPLICATION FOR EMERGENCY TRO FOR IMMEDIATE TEMPORARY SUPPORT TO PREVENT IMMINENT EVICTION, RESTORE HEALTHCARE ACCESS, AND MAINTAIN STATUS QUO TO THE HONORABLE JUDGE PRESIDING: COMES NOW, Respondent, Jason McKemie, pro se, and files this EMERGENCY APPLICATION FOR TRO FOR URGENT TEMPORARY SUPPORT TO PREVENT EVICTION AND MAINTAIN STATUS QUO, and respectfully shows the Court as follows: l....
#165
2026-01-12
Respondent / Jason
Application - Temporary Restraining Order
Page 2
CERTIFICATE_OF_COMPLIANCE
EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER_7476D473.pdf
A justice-court eviction judgment was entered on December 30, 2025. Respondent timely pursued an appeal; however, perfection requires immediate payment of the appeal bond and the first rent- registry deposit. Specifically, Respondent must tender cash, in person, by the statutory deadline: e Appeal Bond: $9,998 e Rent Registry (First Deposit): $4,999 e Total Required to Perfect at This Stage: $14,997 These sums are the minimum required to perfect the appeal at this stage. Absent payment, the appeal is dismissed by operation of law, resulting in immediate...
#165
2026-01-12
Respondent / Jason
Application - Temporary Restraining Order
Page 3
PLEADING_BODY
EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER_7476D473.pdf
IV. IRREPARABLE HARM & WHY DELAY DEFEATS RELIEF Immediate eviction before judicial review would cause irreparable harm. Respondent's medical instability amplifies the danger of displacement and inability to move safely. Relief that is not immediately accessible will not prevent eviction because statutory deadlines expire before further review is available. A narrow TRO is necessary to preserve the status quo now. V. RELIEF REQUESTED Respondent respectfully requests that the Court: A. Compel immediate direct payment of $21,497 by 2:00pm on the Date of Sig...
#165
2026-01-12
Respondent / Jason
Application - Temporary Restraining Order
Page 4
CERTIFICATE_OF_COMPLIANCE
EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER_7476D473.pdf
e Prohibit retaliation or interference related to housing, property, or finances pending the return hearing. e Setan expedited return hearing before the District Judge at the earliest available date. This relief is temporary and narrowly tailored; it does not adjudicate property division, fault, or long-term support. Vl. ENFORCEMENT AND PAYMENT DEADLINES A. IMMEDIATE COMPLIANCE DEADLINE. Petitioner shall fully comply with these Orders by 2:00pm on the Date of Signing. Compliance includes tender of the required funds and filing written proof of compliance...
#165
2026-01-12
Respondent / Jason
Application - Temporary Restraining Order
Page 5
PLEADING_BODY
EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER_7476D473.pdf
...FINDING OF BAD FAITH AND OBSTRUCTION The Court finds that Respondent's sworn affidavit establishes that Respondent is medically incapacitated, unable to relocate, and at risk of homelessness absent timely receipt of funds acknowledged or conceded as belonging to Respondent. In the event the opposing party fails to timely comply with a court-ordered payment obligation without good cause, and such failure foreseeably places Respondent at risk of homelessness or irreparable harm, the Court may deem such noncompliance evidence of bad faith, obstruction, or l...
#165
2026-01-12
Respondent / Jason
Application - Temporary Restraining Order
Page 6
DECLARATION
EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER_7476D473.pdf
VIII. NON-OFFSET Any coercive payment, accrual, or security imposed under this Order is an enforcement remedy, not a division of property, advance against community assets, or offset against Respondent's share of the marital estate. IX. GROUNDS FOR EX PARTE RELIEF The harm will occur before notice and hearing can be completed; it is irreversible once eviction occurs; and the requested relief is limited to preserving the status quo for a short bridge period. X. PRAYER Respondent prays the Court grant the Temporary Restraining Order as requested and set an...
#165
2026-01-12
Respondent / Jason
Application - Temporary Restraining Order
Page 7
PLEADING_BODY
EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER_7476D473.pdf
DF-24-18010 THE MARRIAGE OF § § & ON EMERGENCY REINSTATEMENT OF HEALTHCARE On this day, the Court considered Jason McKemie's (Respondent's) Emergency Motion regarding reinstatement of healthcare coverage. The Court finds immediate relief is necessary to prevent medical har : IT1S RDERED: |. COMPLIANCE PATH (PETITIONER MUST CHOSE AND COMPLETE ONE PATH) 1. Within twenty-four (24) hours of the signing of this Order, Petitioner shall complete one of the following two compliance paths and provide Respondent written proof of completion (email is sufficient). O...
#165
2026-01-12
Respondent / Jason
Application - Temporary Restraining Order
Page 8
PLEADING_BODY
EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER_7476D473.pdf
2. Within (24) hours of the signing of this Order, deposit the remaining balance so that the total deposit equals $20,643.56 into joint account ending XX6893 ("Coverage Preservation Judgment"). B. Petitioner shall provide written notice (email is sufficient) within the same twenty-four (24) hours stating Petitioner is proceeding under Option B. C. After the required funds are deposited under Option B, Respondent is authorized to elect and activate COBRA continuation coverage immediately to preserve medical access. Il, NO WAIVER A. Any COBRA election by R...
#165
2026-01-12
Respondent / Jason
Application - Temporary Restraining Order
Page 9
PLEADING_BODY
EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER_7476D473.pdf
favor of Respondent in an amount equivalent to two (2) weeks of Petitioner's total grass compensation, including base'salary, bonuses, cashincentives, equity compensation, deferred compensation, and employer-provided remuneration of any Rind. Petitioner shall deposit that amount into joint ascount ending XX6893within seventy-two (72) hours of the noncompliance trigger. !f not deposited on time, a coercive fine of $1,000 per day shall accrue until paid in full. D. Future interference The same remedies apply to any future interference with Respondent"s acc...
#165
2026-01-12
Respondent / Jason
Application - Temporary Restraining Order
Page 10
EXHIBIT_START
EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER_7476D473.pdf
...en without critical medications since tendons, and cervical nerve root compression. November 26, 2025, and | continue to experience unmanaged pain and escalating medical risk. 3 My planned shoulder surgery in 2025 was lost because my dependent health coverage was terminated after a Qualifying Life Event (QLE) was reported to the employer plan administrator asserting that the divorce was finalized and that a judicially signed final decree existed. No final decree exists. Trial is set for February 24, 2026. 4. Regardless of what any benefits portal may dis...
#165
2026-01-12
Respondent / Jason
Application - Temporary Restraining Order
Page 11
EXHIBIT_CONTINUATION
EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER_7476D473.pdf
...rized use. 7. Immediate eviction while medically compromised will cause irreparable harm, including loss of housing, exposure or loss of property, and heightened medical danger. Relief that is not immediately accessible will not prevent eviction because the appeal and rent-registry deadlines expire before further judicial review is available. | will be unable to stabilize housing or obtain necessary medical care without emergency relief. 8. Ability to Comply / Scale of Available Funds. Petitioner has the ability to comply with immediate temporary support...
#165
2026-01-12
Respondent / Jason
Application - Temporary Restraining Order
Page 12
EXHIBIT_CONTINUATION
EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER_7476D473.pdf
e If VEIP was withdrawn: o Approximately $100,000 in liquid funds would have been received o Community portion approximately $50,000 © If VEIP was not withdrawn: o A50% employer match would have been credited as of Dec. 31, 2025 o VEIP balance would have fully vested immediately o Approximately $195,000 would be immediately accessible o Community portion approximately $97,500 e Total Identifiable Funds from Only These 3 Recent Events (Excluding Over $600,000 in Additional Marital Assets & Forms of Compensation) e Minimum identifiable assets: « (Sign-on $...
#165
2026-01-12
Respondent / Jason
Application - Temporary Restraining Order
Page 13
EXHIBIT_START
EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER_7476D473.pdf
EXHIBIT C Overview Uetal Aaeert Yoko Tous Cah Change $495,434.00 $7,772.02 +5199 56 / 0.00%6 pee bead! Group Hema, -1 ACE=r 9 OTT 'Talon OF fell deteaecole eel eric ce pec pete reece Vie car edocs Carieseed [° Account Summary Tasha Late re ATS St PET AS pee Cash & Invesimerts & Verify that your Information ig accurate Vee Ta Kian 000.0000 5234 $130 om yeaoe Quick Actions THAR ooo GOR Sak ST atin 5 layout OCCA: ees Aah MoS Quali 210 Weep& « Make & transfer a Undate account nicknames Portfolia Progress September 2025 : : : rematt planner Henney pou cet A t...
#165
2026-01-12
Respondent / Jason
Application - Temporary Restraining Order
Page 14
FILING_STAMP_OR_ESERVICE
EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER_7476D473.pdf
on the date and to the persons listed below. The rules governing Envelope ID: 109910601 Filing Code Description: Application - Temporary Restraining Order Filing Description: EMERGENCY Status as of 1/15/2026 9:33 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Jason McKemie jmckemie@mckemie.net 1/12/2026 3:52:22 AM SENT Gwendolyn Ulijasz McKemie GUlijasz@gmail.com 1/12/2026 3:52:22 AM 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
...ified copy of the relevant Wisconsin court records is attached hereto as Exhibit [X]. This information is provided solely to ensure accurate context where allegations of danger or need for armed protection are asserted, and to document that such assertions are inconsistent with both my history and the publicly documented record. PATTERN OF FALSE POLICE REPORTS & CULMATIVE EFFECT ON RESPONDENT DF-24-18010 2of7 Copy from re:SearchTX
#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
...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 POLICE REPORTS & CULMATIVE EFFECT ON RESPONDENT DF-24-18010 3...
#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
Wisconsin Circuit Court Access (WCCA) State of Wisconsin vs. Gwendolyn L Stathoulopoulos Door County Case Number 2013CF000126 Filing Date Case Type Case Status - 09-10-2013 Criminal Open Deferred judgt./prosecute Defendant Date of Birth Address 05-27-1978 1512 W Chicago Ave Apt 4, Chicago, IL 60642 DA Case Branch Id Number 2 2013D0000772 Charge(s) Count Statute Description Severity Disposition No. Deferred Prosecution 1 946.41(1) Resisting an Officer Misd A or Sentence Battery to Law Enforcement Officers, Fire Fighters or Felony Charge Dismissed but 2 94...
#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
Date Time Location Description Type? Court Official 09-14-2015 10:00 am Circuit Court Branch 2 Status conference Court Diltz, Peter Charge(s)/Sentence(s) Charge Detail The Defendant was charged with the following offense: Count Statute Offense Description Severity Plea No. Cite Date 1 946.41(1) Resisting an Officer Misd. A 08-17-2013 Guilty on 02-06-2014 On 02-06-2014 there was a finding of: Action Court Official Deferred Prosecution or Diltz Peter Sentence Supervising Time Notes Agency In the event Defendant satisfies these conditions, State will, at th...
#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
...lAddress.com, which is a private mailbox service that decouples your mails delivery from your physical address as she represented to me that she believed her life was in danger from a past romantic partner(s), and I placed it in plain view on a table near the front door so that it would be immediately accessible to her. I did this specifically to avoid any later claim that her mail was being withheld. 6. During the access period, despite my express request and the clear notice on the door, Ms. Uliasz forced upon the doors to my locked office without perm...
#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
#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
1/8/2026 12:37 PM s DALLAS CO., TEXAS NOTICE: DOCUMENT CONTAINS DF-24-18010 NO. SENSITIVE INFORMATION. MARRIAGE OF § § & § NOTICE OF VOLUNTARY COMPLIANCE & OBJECTION TO PREMATURE, POST-CUTOFF, THIRD-PARTY SUBPOENA REQUEST WITHOUT A SINGLE PRIOR PRODUCTION REQUEST Jason McKemie files this Notice of Voluntary Compliance and Objection to Petitioner's "Motion for Leave to Conduct Limited Post-Cutoff Discovery." Petitioner seeks leave to issue post-cutoff subpoenas to Amazon, Apple, and PhysicalAddress.com. I. SUMMARY OF OBJECTION (THE "WHY THIS IS IMPROPER"...
#161
2026-01-08
Respondent / Jason
Miscellaneous Event
Page 2
PLEADING_BODY
NOTICE OF VOL COMPLIANCE & OBJ TO POST-CUTOFF SUBPOENA WITHOUT PRIOR REQUEST_DCE3B3A3.pdf
s Il. WHAT PETITIONER ASKS FOR (AND WHY IT'S NOT "LIMITED"') Petitioner requests leave to issue three subpoenas: e Amazon: itemized purchase history and shipping info for Aug. 1, 2023-Dec. 31, 2025. e Apple: itemized purchase history/subscriptions/hardware purchases/payment methods for the same period. e PhysicalAddress.com: digital scan images of packages/envelopes for mail addressed to Petitioner (individually or jointly) for calendar years 2024 and 2025. Petitioner further asks that each subpoena include a custodian affidavit to streamline admissibili...
#161
2026-01-08
Respondent / Jason
Miscellaneous Event
Page 3
PLEADING_BODY
NOTICE OF VOL COMPLIANCE & OBJ TO POST-CUTOFF SUBPOENA WITHOUT PRIOR REQUEST_DCE3B3A3.pdf
"neutral business records," this is a sweeping request that captures far more than what would be necessary for a fair inventory of household items and invites collateral disputes and trial distraction. D. The "December 24 cutoff" explanation underscores lack of diligence, not good cause Petitioner states the discovery cutoff "fell on December 24, 2025" and offers travel/work obligations and a healthcare-related dispute as "context." That context does not justify reopening discovery after the deadline, particularly where the motion already set to address...
#161
2026-01-08
Respondent / Jason
Miscellaneous Event
Page 4
FILING_STAMP_OR_ESERVICE
NOTICE OF VOL COMPLIANCE & OBJ TO POST-CUTOFF SUBPOENA WITHOUT PRIOR REQUEST_DCE3B3A3.pdf
on the date and to the persons listed below. The rules governing Envelope ID: 109816658 Filing Code Description: Miscellaneous Event Filing Description: NOTICE OF VOL COMPLIANCE & OBJ TO POST-CUTOFF SUBPOENA WITHOUT PRIOR REQUEST Status as of 1/9/2026 9:07 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Jason McKemie jmckemie@mckemie.net 1/8/2026 12:37:57 PM SENT Gwendolyn Ulijasz McKemie GUlijasz@gmail.com 1/8/2026 12:37:57 PM SENT JASON EMORYMCKEMIE jason@callvital.com 1/8/2026 12:37:57 PM SENT Copy from re:SearchTX
#155
2026-01-05
Respondent / Jason
Notice Of Filing
Page 1
FILING_STAMP_OR_ESERVICE
NOTICE PRIOR COURT REPORTER REQUEST & OBJECTION TO OFF RECORD HEARING_179CB3AF.PDF
1/5/2026 12:00 AM DALLAS CO., TEXAS NO. DF-24-18010 NOTICE: THIS DOCUMENT CONTAINS SENSITIVE MATERIALS THE MARRIAGE OF § 5 & § NOTICE OF PRIOR STANDING FOR REQUEST COURT REPORTER / OFFICIAL RECORD NON-WAIVER AND OBJECTION TO PROCEEDING WITHOUT A VERBATIM RECORD TO THE HONORABLE JUDGE OF SAID COURT: Jason McKemie (Respondent) files this Notice of Prior Standing Request for Court Reporter / Official Record, together with a Non-Waiver and Objection to Proceeding Without a Verbatim Record, and respectfully shows the Court: A I. THIS IS COURTESY REMINDER OF A...
#155
2026-01-05
Respondent / Jason
Notice Of Filing
Page 2
PLEADING_BODY
NOTICE PRIOR COURT REPORTER REQUEST & OBJECTION TO OFF RECORD HEARING_179CB3AF.PDF
6. McKemie expressly withholds consent to any off-the-record proceeding and preserves objection to being required to proceed without an official record. Any participation under those circumstances is involuntary and undertaken solely to avoid default, waiver, or other prejudice. 7. fan official record cannot be provided for a scheduled setting, McKemie respectfully requests the Court continue/reset the setting to the earliest date when an official record can be made. 1l. STATUTORY RIGHT TO A RECORD & THE COURT'S AUTHORITY TO ENSURE IT 8. Tex. Gov't Code...
#155
2026-01-05
Respondent / Jason
Notice Of Filing
Page 3
PLEADING_BODY
NOTICE PRIOR COURT REPORTER REQUEST & OBJECTION TO OFF RECORD HEARING_179CB3AF.PDF
VI. REQUEST REGARDING FEES / COSTS OF THE RECORD 15. To the extent any fees are required to produce or copy the official record or transcript (including under Tex. Gov't Code § 52.047), McKemie requests the Court order that such fees be: a taxed to Petitioner, and/or b. paid from community/marital funds as a case-administration expense, subject to later reallocation as the Court deems just. VII. INABILITY TO PREPAY (iF REQUIRED) 16. If the Court requires any prepayment as a condition of obtaining the record or a copy of an official ca Statement of record...
#155
2026-01-05
Respondent / Jason
Notice Of Filing
Page 4
CERTIFICATE_OF_SERVICE
NOTICE PRIOR COURT REPORTER REQUEST & OBJECTION TO OFF RECORD HEARING_179CB3AF.PDF
Respectfully submitted, Jason McKemie Respondent, Pro Se 539 W Commerce St, Ste 2010 Dallas, TX 75208 214-868-4901 jmckemie@mckemie.net on C Jason McKemie EXHIBITS ATTACHED (1 Document / 3 Pages): e EXHIBITA STANDING REQUEST FOR COURT REPORTER FOR OCT 31, 2025, HEARING AND ALL SUBSEQUENT PROCEEDINGS NOTICE OF STANDING REQUEST FOR COURT REPORTER / NON-WAIVER 4of4 DF-24-18010 4 of 7 Copy from re:SearchTX
#155
2026-01-05
Respondent / Jason
Notice Of Filing
Page 5
PLEADING_BODY
NOTICE PRIOR COURT REPORTER REQUEST & OBJECTION TO OFF RECORD HEARING_179CB3AF.PDF
10/29/2025 1:13 PM DALLAS CO., TEXAS NOTICE: DOCUMENT CONTAINS DF-24-18010 NO. SENSITIVE INFORMATION. MARRIAGE OF § § & § STANDING FOR COURT REPORTER FOR REQUEST OCT. 31, 2025 HEARING AND ALL SUBSEQUENT PROCEEDINGS I, Jason McKemie, Respondent, appearing pro se, respectfully request that a licensed court reporter be present to record the following proceeding and all future hearings and trial in this cause pursuant to Texas Rule of Appellate Procedure 13.1(a). Requested Proceeding e Date: Friday, October 31, 2025 e Time: 9:30 a.m. e Judge: Hon. Tamika Bha...
#155
2026-01-05
Respondent / Jason
Notice Of Filing
Page 6
CERTIFICATE_OF_SERVICE
NOTICE PRIOR COURT REPORTER REQUEST & OBJECTION TO OFF RECORD HEARING_179CB3AF.PDF
(214) 868-4901 | jmckemie@mckemie.net on Ff Jason McKemie STANDING REQUEST FOR PRESENCE OF COURT REPORTER 2 of 2 Oct. 29%, 2025 | DF-24-18010 6 of 7 CopyCopy fromfrom re:SearchTXre:SearchTX
#155
2026-01-05
Respondent / Jason
Notice Of Filing
Page 7
FILING_STAMP_OR_ESERVICE
NOTICE PRIOR COURT REPORTER REQUEST & OBJECTION TO OFF RECORD HEARING_179CB3AF.PDF
on the date and to the persons listed below. The rules governing Envelope ID: 107432127 Filing Code Description: Notice Of Filing Filing Description: STANDING REQUEST FOR COURT REPORTER FOR OCTOBER 31, 2025 HEARING AND ALL SUBSEQUENT PROCEEDINGS Status as of 10/30/2025 11:39AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Ethan Scroggins escroggins@sullivancook.com 10/29/2025 1:13:21 PM SENT Jason McKemie jmckemie@mckemie.net 10/29/2025 1:13:21 PM SENT Gwendolyn Ulijasz McKemie GUlijasz@gmail.com 10/29/2025 1:13:21 PM SENT JASON EMORYM...
#155
2026-01-05
Respondent / Jason
Notice Of Filing
Page 8
FILING_STAMP_OR_ESERVICE
NOTICE PRIOR COURT REPORTER REQUEST & OBJECTION TO OFF RECORD HEARING_179CB3AF.PDF
on the date and to the persons listed below. The rules governing Envelope ID: 109629603 Filing Code Description: Notice Of Filing Filing Description: NOTICE OF PRIOR STANDING REQUEST FOR COURT REPORTER/ OFFICIAL RECORD Status as of 1/5/2026 9:00 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Jason McKemie jmckemie@mckemie.net 1/4/2026 10:34:26 PM SENT Gwendolyn Ulijasz McKemie GUlijasz@gmail.com 1/4/2026 10:34:26 PM SENT JASON EMORYMCKEMIE jason@callvital.com 1/4/2026 10:34:26 PM SENT Copy from re:SearchTX
#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
...quitable authority under Texas Family Code §§ 6.502 and 6.503. The contents of this motion involve matters of psychiatric history, procedural misconduct, and evidentiary risk that materially affect the integrity of these proceedings and the safety of Respondent. This filing is submitted in good faith and under seal for protection of all parties, and to ensure that the Court may evaluate the record in a secure and truthful manner. 3 of203 Copy from re:SearchTX
#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...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 5
EXHIBIT_START
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
This motion is narrowly tailored to the IIED claim and the credibility issues it raises. It is submitted under seal and in camera to avoid unnecessary prejudice. Respondent requests that the costs be paid from marital estate funds under Petitioner's control. Respondent does not believe a reciprocal evaluation is necessary but will comply under identical conditions should the Court require it, with all costs likewise paid from the marital estate. Marriage Timeline & Documentary Proof Respondent and Petitioner were married in September 2023. On October 23,...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 6
EXHIBIT_CONTINUATION
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
| began noticing subtle but consistent changes in Petitioner's demeanor - In July 2024, she was less open, quicker to irritation, and more sensitive in general. One significant change stood out: she no longer appeared to need the prescription stimulant she had regularly taken for over a year to address reported daytime fatigue. Previously, Petitioner represented to both me and our family physician that she was taking only two antidepressants, concealing the fact that she had been prescribed a total of six psychiatric medications as of June 2024 - includi...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 7
EXHIBIT_CONTINUATION
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
...one occasion, Respondent reviewed security footage proving his compliance; Petitioner reacted with extreme anger - an incident that convinced Respondent her behavior was dangerous and destabilized by medication cessation. 7of 203 Copy from re:SearchTX
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 8
EXHIBIT_START
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
Constant perception management: Obsessively shaping how others viewed her, with fixation on money, status, and ego. Fear of escalation to physical harm: Respondent began ensuring home cameras were functional at all times, fearing Petitioner might fabricate or stage a violent incident to frame him. Death declarations, interference with therapy, and denial of medical care: Over several months, Petitioner repeatedly told Respondent he was "going to die soon," claiming both his mother and his therapist (David) had said so. When Respondent's mother denied it,...
#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
3. Systemic Financial Fraud & Asset Concealment Petitioner's sworn financial disclosures contain deliberate misrepresentations - including the intentional disquise of $10,000/month VEIP (Employer Equity Fund with a 50% return in one year) contributions as "extra tax withholding" - and omit significant assets and accounts. Bank records further show large, 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 W...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 10
EXHIBIT_CONTINUATION
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
medication - installed a keylogger on the shared Mac. The software was openly visible on the desktop and remained for only four days. Respondent's sole intent was defensive: to verify whether civil or criminal processes were being weaponized against him and whether police might come to the house armed. The captured information confirmed his fears - Petitioner was actively coordinating an offensive legal campaign against him. Once this was clear, he shut the program down. December 13, 2024 - Petitioner fully cut off Respondent from all marital funds, canc...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 11
EXHIBIT_START
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
Exhibit 14 - Dallas PD False Report Records & Investigative Findings - Exhibit 15 San Antonio PD False Report Records & Investigative Findings 5. Pattern of Weaponizing Protective Orders & Witness Tampering - it is a repeated Petitioner's misuse of protective orders is not limited to Respondent pattern extending to prior relationships. Her former husband has alleged that Petitioner: e Caused him to be terminated from his job. e Left him destitute and evicted him from his home. e Caused his children to be removed from his custody through false allegations...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 12
EXHIBIT_CONTINUATION
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
...n September and December 2024, Petitioner concealed at least $489,000 in community cash flow, with updated financial analysis showing the actual figure was substantially higher. Bank records confirm that from June through December 2024, a total of $687,092 in community cash assets moved through household accounts from salary, - excluding bonuses, Cognizant RSU & 401(k) rollover, and an Ameriprise withdrawal investment income, retirement accounts, VEIP equity funds, or other compensation. e 94.99% ($652,692) was deposited directly into Petitioner's person...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 13
EXHIBIT_CONTINUATION
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
8. Theft of Victimhood: Financial Entrapment and Procedural Exploitation by the True Abuser From September through December 2024, Petitioner concealed over $489,000 in community funds while directing Respondent to take on debt, max out his credit cards, and even purchase expensive, personalized gifts for her family members on his own accounts. Respondent repeatedly told Petitioner that he had no room left on his cards and that the balances needed to be paid down. Petitioner assured him they would be - but instead, she continued the spending and kept cont...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 14
EXHIBIT_CONTINUATION
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
e Filing for a protective order and annulment the following Monday, e Embedding false abuse and stalking allegations into the annulment petition, e Creating a procedural trap door so that contesting spousal support or legal fees would reopen those fabricated claims and allow her to introduce new "evidence" later. Petitioner has a documented history of securing confidential settlements from prior employers and is an experienced, well-resourced litigant spending over $100,000 per year on legal matters. She understands the value of embedding perjury into th...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 15
EXHIBIT_START
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
From Sept-Dec 2024, Petitioner concealed over $489,000 while directing Respondent to take on debt, telling him to "conserve all cash" and even instructing him to buy expensive, personalized gifts for her family on his credit cards. Between June and December 2024, Petitioner siphoned away nearly a half-million dollars while only $22,000 went to Respondent. Despite this, Petitioner now claims she was financially abused by Respondent. Key Timeline: e Dec 10 - Respondent undergoes invasive spinal surgery (6-day hospitalization, 2 days paralysis). e Dec 11 -...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 16
EXHIBIT_START
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
...epresented by counsel, my attorney warned me that contesting spousal support or legal fees would be "legal suicide," with potential criminal ramifications - a calculated risk given Petitioner's documented history of obtaining criminal verdicts against past romantic partners. This pattern reflects not only financial manipulation, but also the deliberate use of legal process as a weapon, underscoring the need for a comprehensive psychological evaluation. Financial Reality vs. Claims: At the Jan 7 hearing, Judge Brown asked Petitioner about her financial po...
#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
That there were new cameras installed at the marital residence that were "in every room", "so intimidating". That there were "listening devices all over the house." "I would say there were dozens." That a listening device was found in a plant" Spousal Support and Legal Fees were Denied. Petitioner then stated that she had given Respondent $8,400 in the prior month and provided Judge Brown a bank statement showing a $3,400 transfer. She stated this money was provided on top of paying his legal retainer of $5,000 and that she is not a piggy bank for his sp...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 18
EXHIBIT_CONTINUATION
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
e ~$500,000 in pre-hearing transfers to undisclosed accounts. e $94,000 luxury vehicle under warranty while claiming no functional automobile. « Employer-reimbursed San Antonio rent. e $10,000/month VEIP contributions mislabeled as "extra tax withholding." e Cosmetic procedures & luxury lodging while denying Respondent antibiotics, heart medication, and basic living resources. e Current status: Respondent facing imminent eviction, negative accounts, maxed credit cards since Dec, unable to afford prescriptions - separate relief request forthcoming. Petiti...
#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
FILEO UNDER SEAL PURSUANT TO TEXAS DF-24-18010 RULES OF CIVIL PROCEDURE ANO COURTS INHERENT AUTHORITY IN THE MATTER OF THE DISTRICT COURT THE a EXHIBIT LIST Character Reference ofJason McKemie Hartford Life Insurance Denial Letter (2023) 2. MetLife Life Insurance Denial Letter (2024) 3. SAPD false report records & investigative findings 4. DPD false report 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 P...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 20
EXHIBIT_CONTINUATION
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
...ose who traveled across the country to stand by at Gwen and Jason's sides at their wedding-sec this clearly. We watched Gwen arrive from out of state, claiming to flee a dangerous ex. We believed her. We welcomed her. And now, she's flecing again while leaving behind another man in mins. The pattern is impossible to ignore. There is no mystery ofwhat has transpired. It's not just misconduct it's brazen criminality, executed without fear of consequence. Jason is loyal to a fault, emotionally open in ways most men are not, and forgiving even when it costs...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 21
EXHIBIT_CONTINUATION
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
0 What she's doing is not reactive-it's intentional. It is cruel. It is wrong on a scale that is hard to convey. And the only conclusion left is the one no one wants to say out loud: she appears to enjoy causing harm. There is no other explanation that fits what we're witnessing. I saw the toll this took on Jason in late 2024. He told me Gwen had stopped her psychiatric medications before their Costa Rica trip but promised to resume after. She didn't. On November 16, we were supposed to attend a concert together. Gwen didn't come. Jason arrived alone. He...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 22
EXHIBIT_CONTINUATION
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
1 Employee: Guendolyn Uli pe DOW: Vaderwriting ID: 5901172-G Enrolled through: COGNIZANT TECHNOLOGY SOLUTIONS US CORPORATION Applicant: Guendotvn Uligas All Coverageis) Requested: Voluntary Lafa $900 000 Palicy Nemberts;: Gl 715217 5 THE HARTFORD March 12, 2024 Gwendolyn Ulises 521 Travis St Dallas. TX 75205 Deat Gwendolyn, Wo fas 85 received your request for res aluation of our decision tn group US CORPORATION coverag for thrush OGNIZANT TECHNOLOGY SOLUTIONS When our file review has been completed, we will contact you wth our decison. at If vou have any...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 23
EXHIBIT_CONTINUATION
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
1 Applicant: t ligase Uaderwriting ID: SOLUTIONS CORPORATION THe HARTFORD LIFE AND ACCIDENT INSURANCE COMPANY Onc Hartford Plaza Hartford CT 3741665 PSYCHOLOGICAL QUESTIONNAIRE PAG medical history, we Oy sourself a spas of family membct) 1 Phare indicate all poychiattc'psecbotopcal diagnosis (cv) (dv) aad/ot presenume condtbonte far treament (rs) berets on hdeden No In Mold _-+ Ya NO M : LL Severe Yes ba NO 2 Mild Moderate Mild C Movierac Severe Yes (No C Yes 5 No Date 2 Are you the prewrihen treating provider for above > Istherea history of substance ab...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 24
EXHIBIT_CONTINUATION
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
1 Applicant: Guendolyn Ulips Underwriting ID: 8901172G Policyholder ( OCNIZANT TECHNOLOGY SOLUTIONS U 8. CORPORATION Poticy Number(s): 0GL7 15217 D Hospitalizauion partial E Other - ~~ Details > Le there any Instory of condition related work Iss? : Yor] No % Plcase provide most recent sinprom-based puchological rating scale results of cornpleted Intcepretaton Tool Dane Aidmumeacred Score PHO Heamtton Depression Rating Scule tHAM-D) Bock _-- 4 If above rating scale not completed please dest ibe sy ot Lass Gist 10 Airy function or wenition? C1 Yes © No Det...
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 25
EXHIBIT_CONTINUATION
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
1d 12:24 4 wa > < (3) Re: UW ID 5901172-G/additional info and appeal (KMM46196673V67940LOKM) » inbox Medical Underwr... 32) GC) - tome Good Afternoon Gwen, Thank you for contacting the Medical Underwriting Depastment at The Hurtfurd regarding Underwriting ID: 59011 2. Huppy to assist! This ts to confirm that your appeal has heen received and as a result. a Paychological questionnaire was mailed to your home address on 3 12 14. For additional assistance, please reply to this email or contact our service center at 1-424 (M-F: ¥:00um- 8.00pm Fastern Time)....
#151
2025-12-29
Respondent / Jason
Motion - Seal - SEALED SUBMISSION FOR IN CAMERA
Page 26
EXHIBIT_CONTINUATION
MOTION SEAL SUBMISSION FOR CAAMERA REVIEW_E7F45A60.pdf
1h ret reese whereeeTAMER WH ¢ 18S PEOCEMarne OT Oper need he Your P; Aap {Te be normpisied the ian proved-ng Weviment for Me cone an) a ets ener are ee be manny 4 a be ay to06 bh A ha te Matty Coneteity yo ern recone Condition Your Patient» tur wyyy) Wael recent tere cf Pestrerd Waa) coe bre Sete wr wnats0 canee of yar BORON BUNSEN USech naey (3 wey tang C Pregrety [Tipe ar th - Check ons below! U 8 Cerected convey date wae G Caserwen C) Nance Brim C) Liat any other physicionn ot yrs veterred you wr: Seecaty {Prene names Firat name bast name C wa fe yor...