DF-24-18010 Litigation Record Search

/Users/jason/Documents/DIVORCE/DV_Pleadings/PLEADINGS_OCR/df24_litigation_search/data/df24_litigation_search.sqlite

All topics

De novo

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 2 EXHIBIT_START
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
EXHIBIT INDEX AND CLICKABLE REFERENCE MAP 0 https://tinyurl.com/POExhibitIndex Index of Exhibit's with clickable links to supporting documentation. Document includes descriptions of referencd materials for context. DANE PATCHING DECLARATION https://tinyurl.com/DestructionDeclaration A Independent witness evidence regarding April 16 aftermath, destructive handling, electronics and valuables near trash, camera/security damage, and Applicant not being the dangerous actor. APRIL 16 WRIT AFTERMATH / TIMELINE / PHOTOS / VIDEOS https://tinyurl.com/WritAftermath...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 3 EXHIBIT_START
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
PROTECTIVE ORDER EXHIBIT MAP Each exhibit uses a 3-row block: ID | NAME | LINK 1 / LINK 2 | DESCRIPTION. Add new exhibits by copying any complete 3-row block. LEASE BUYOUT / MANUFACTURED EVICTION EVIDENCE K https://tinyurl.com/LeaseFraud Supports manufactured eviction/access pressure, housing instability, predicted cleanout, and third-party access setup. DESTROYED AT&T MODEM / SECURITY-SYSTEM DISABLEMENT L https://tinyurl.com/DestroyedModem Shows destruction/disablement of internet, security, alarm, and camera infrastructure during or after April 16. SIG...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 6 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
traveled to Wisconsin for four days to attend their ceremonial wedding at her sister Pamela Woodman’s lakehouse in Mauston, Wisconsin. 19. When we first met Gwen, we understood that she had relocated to Texas because of safety concerns involving a former spouse. Jason discussed those concerns with me, and I observed him take deliberate steps to protect her privacy, including avoiding social media and limiting public visibility regarding their whereabouts and marriage. This was a noticeable change from Jason’s prior online presence. Based on what I observ...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 14 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
XII. FIREARM ACQUISITION AND SAFETY RISK Open records recently produced a police report confirming Petitioner’s acquisition of a firearm. Petitioner stated that she needed the firearm in connection with a property dispute at Public Storage on the exact same date as the first bench trial in the 254th District Court. The report states that Petitioner was not licensed for that firearm. The firearm issue is directly relevant to this request for protective relief and to the requested Rule 204 psychological examination. Petitioner’s acquisition of a firearm in...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 26 EXHIBIT_START
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
EXHIBIT C NO.__________________________________________ APPLICANT § GWENDOLYN LAURA ULIJASZ § EXHIBIT - HEALTHCARE OBSTRUCTION CONTRADICTIONS MATRIX This exhibit is designed for rapid judicial review. Each contradiction identifies the statement, the contradictory record, and why the contradiction matters to the issue of healthcare obstruction and ongoing noncompliance. • False 'receipt upload' pretext used to block HSA access. • Claimed compliance despite nonfunctional or cancelled card access. • Objective system records still showing HSA/FSA waivers aft...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 28 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
...SA access, is not functional initial drop date, so there was prescriptions were blocked in care. “no longer any gap in practice, and at least one MRI coverage.” remained denied; “paper coverage” did not restore real- world access. C10 12/17/2025 Petitioner had to reinstate Expanded / EXP2 state she Contradictions are signed coverage and provide remained noncompliant: no measured against a healthcare order sufficient info to use HSA/FSA functional card in Jason’s written court order, without obstruction, or fund name, no restored not just private COBRA an...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 29 EXHIBIT_START
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
...NSACTION- TRIGGERED FINANCIAL ACCESS INTERFERENCE Recurrent staphylococcal infections began after prescribed antibiotic treatment was interrupted in May 2025, when Respondent reported Applicant’s HSA card lost/stolen during Applicant’s six-day hospitalization. Hospital staff restored access to the HSA card for the first time since Respondent locked the card on December 18, 2024, the application against Applicant. That evening, Applicant used the restored HSA card for a $41 prescription transaction at a local pharmacy previously used by both parties, and...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 40 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
Page 1 of 1 The following constitutes the ruling of the court and has the force and effect therein described. Signed May 1, 2026 United States Bankruptcy Judge ______________________________________________________________________ BTXN 161 (rev. 01/04) UNITED STATES BANKRUPTCY COURT NORTHERN DISTRICT OF TEXAS In Re: § Jason Emory McKemie § Case No.: 26−30161−mvl7 § Chapter No.: 7 Debtor(s) § ORDER VACATING ORDER The Court, after review of the docket in the above entitled and numbered proceeding, finds that an Order approving chapter 7 trustee report and...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 41 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
...E 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: 1. My name is Jason McKemie and my Date of Birth is April 8th, 1976. I am the Respondent in mind, competent to make this affidavit, and all statements herein are based on my personal knowledge and are true and correct. 2. On May 30th, 2025, I separated the personal pro...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 42 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
...unit since the date the property was separated. I have not returned to the facility for any reason. 7. Any suggestion or implication that personal property from the residence was removed and placed into storage is inaccurate and inconsistent with both the parties’ prior agreements and the objective third-party records maintained by Public Storage. 8. Public Storage access records and video surveillance conclusively establish that the contents of the units remain as placed on May 30th, 2025, and that I have not accessed the facility since that time. Any...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 43 EXHIBIT_START
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
15. DOCUMENTED HISTORY INVOLVING PETITIONER. A certified copy of the relevant Wisconsin Circuit Court records is attached hereto as [Exhibit A]. This exhibit is provided solely to ensure accurate safety context where allegations of danger or the asserted need for armed protection are raised, and to document that such assertions are inconsistent with my history and the publicly documented record. DECLARATION I declare under penalty of perjury that the foregoing is true and correct. Executed on January 11, 2026 At 9:30pm CST _______________________________...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 48 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
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...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 52 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
...never visited. While most investigations have been resolved after Petitioner provided this evidence to the responding detectives, two matters remain under review by the District Attorney’s Office. Petitioner includes the records herein to document the evolving pattern of false allegations, retaliatory reporting, and abuse of emergency systems—conduct that is directly relevant to the credibility of Respondent and to the broader context of this case. The enclosed packet includes: • All available police reports and emergency call records received to date f...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 54 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
SAN ANTONIO POLICE SanSan AntonioAntonio PolicePolice DepartmentDepartment ReportReport ## SAPD25041335SAPD25041335- -Offense/IncidentOffense/Incident ReportReport CoverCover SheetSheet REPORTREPORT DATEDATE // TIMETIME DISTRICTDISTRICT // SECTIONSECTION // SUBSTATIONSUBSTATION // COUNCILCOUNCIL DISTRICTDISTRICT // SCHOOLSCHOOL EVENTEVENT STARTSTART DATEDATE // TIMETIME -- EVENTEVENT ENDEND DATEDATE // TIMETIME DISTRICTDISTRICT MarMar 1,1, 20252025 19:4619:46 MarMar 1,1, 20252025 19:4719:47 -- 19:4719:47 72207220 // 7272 // PRUEPRUE OFFENSE-1OFFENSE-1 OF...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 56 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
sANfifiNsANflflNlnIn PIIIIISEPIIIIISE SanSan AntonioAntonio PolicePolice DepartmentDepartment — ReportReport ## SAPD25002158SAPD25002158 - -Offense/IncidentOffense/Incident ReportReport CoverCover SheetSheet REPORTREPORT DATEDATEI I TIMETIME DISTRICT/DISTRICT/ SECTIONSECTIONII SUBSTATIONSUBSTATION / / COUNCILCOUNCILDISTRICTDISTRICT/ / SCHOOLSCHOOL EVENTEVENTSTARTSTARTDATEDATE/ /TIMETIME ,, EVENTEVENT ENDEND DATEDATE ITIMEITIME JanJan 4,4, 20252025 09:2409:24 D'STR'CTD'STR'CT __ DecDec22,22, 2024202408:4108:41-- JanJan 4,4, 20252025 09:2509:25 72207220 // 727...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 57 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
VIV1 statedstated today,today, sheshe locatedlocated anotheranother trackingtracking devicedevice onon herher vehicle.vehicle. OnOn scene,scene,aa whitewhite airair tagtag waswas locatedlocated inin aablackblackweatherproofweatherproof casecase locatedlocated behindbehind thethe rearrear bumperbumper passengerpassengerside.side. V1VI advisedadvised videovideo footagefootageavailableavailableforfor thethe exactexactlocationlocationofof airair tag.tag. WhileWhile atat location,location, II observedobserved V1'sVI's techniciantechnician removeremove thethet...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 58 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
SAN ANTONIO POLICE SanSan AntonioAntonio PolicePolice DepartmentDepartment ReportReport ## SAPD25009850SAPD25009850 --Offense/IncidentOffense/Incident ReportReport CoverCover SheetSheet REPORTREPORT DATEDATE // TIMETIME DISTRICT / SECTION / SUBSTATION / COUNCIL DISTRICT / SCHOOL EVENTEVENTSTARTSTARTDATEDATE/ /TIMETIME -- EVENTEVENT ENDEND DATEDATE // TIMETIME DISTRICT/SECTIONDISTRICT / SUBSTATION /COUNCIL DISTRICT /SCHOOL JanJan 15,15, 20252025 21:0821:08 JanJan 15,15, 20252025 20:0020:00 -- 21:0021:00 72207220 // 7272 // PRUEPRUE // NorthsideNorthside I...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 60 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
SAN ANTONIO POLICE San Antonio Police Department Report # SAPD25002158 - Offense/Incident Report Cover Sheet REPORT DATE / TIME EVENT START DATE / TIME - EVENT END DATE / TIME Jan 4, 2025 09:24 DISTRICT / SECTION / SUBSTATION / COUNCIL DISTRICT / SCHOOL 7220 / 72 / PRUE / Northside ISD (Bexar) / 8 Dec 22, 2024 08:41 - Jan 4, 2025 09:25 OFFENSE-1 OFFENSE CODE HARASSMENT | MB | 42.07 PC OFFENSE LOCATION OFFENSE START DATE OFFENSE END DATE 12802 KINGS FOREST, SAN ANTONIO, TX 78230 Dec 22, 2024 08:41 Jan 4, 2025 09:25 INVOLVED PERSONS INVOLVEMENT NAME HOME A...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 62 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
SAN ANTONIO POLICE SanSan AntonioAntonio PolicePolice DepartmentDepartment ReportReport ## SAPD24277190SAPD24277190 --Offense/IncidentOffense/Incident ReportReport CoverCover SheetSheet REPORTREPORT DATEDATE // TIMETIME DISTRICTDISTRICT // SECTIONSECTION // SUBSTATIONSUBSTATION // COUNCILCOUNCIL DISTRICTDISTRICT // SCHOOLSCHOOL EVENTEVENTSTARTSTARTDATEDATE/ /TIMETIME -- EVENTEVENT ENDEND DATEDATE // TIMETIME DISTRICTDISTRICI DecDec 28,28, 20242024 18:3818:38 DecDec 28,28, 20242024 16:4316:43 -- 18:3818:38 73107310 // 7373 // PRUEPRUE // NorthsideNorthsid...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 65 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
...se recordsrecords requestedrequested pertainpertain toto maliciousmalicious andand fraudulentfraudulent allegationsallegations orchestratedorchestrated byby mymy estrangedestranged wife,wife, GwendolynGwendolyn UlijaszUlijasz McKemie,McKemie, asas partpart ofof anan ongoingongoing campaigncampaign ofof legallegal andand financialfinancial abuse.abuse. TheseThese recordsrecords areare criticalcritical toto mymy defensedefense andand ongoingongoing litigation,litigation, andand theirtheir suppressionsuppression directlydirectly enablesenables furtherfurther...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 66 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
...roundaround Dallas.Dallas. •• ContinuedContinuedfilingfilingnewnewfalsefalsereportsreportsininotherotherjurisdictionsjurisdictionsafterafterthetheDallasDallasCountyCounty judgejudge shutshut downdown herher abilityability toto dodo soso locally.locally. the judge later amended the order, adding a ruling to dismiss her petition itself, and any associated evidence thereof, to it’s entirely. This judicial action—taken unprompted by me or my counsel—underscores the sheer fraudulencefraudulence ofof herher allegations.allegations. 3.3. PublicPublic InterestInt...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 92 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
ExhibitExhibit DD Received on (date) at (time) ER TEXAS REALTORS RESIDENTIAL LEASE APPLICATION USE OF THIS FORM BY PERSONS WHO ARE NOT MEMBERS OF THE TEXAS ASSOCIATION! OF REALTORS®," #$ INC.!% IS NOT AUTHORIZED.& '% Ulexas Association of KEALTONOw, Inc. 2010! Each occupant and co-applicant 18 years or older must submit a separate application. ( perty) ( * Address:( ++, 56095609 LaLa FoyFoy Blvd,BIvd, Dallas,Dallas, TXTX 7575209 ticipated:) , Move-in- D' , Monthly./* Rent:, 0$ 4,999.00,999 00 Security1( * Deposit:' ) + , 0$ 4,999.00,999 00 Initial / Leas...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 94 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
Residential+ / Lease" + Application))/ concerning( 5 56095609LaLa FoyFoy Blvd,Blvd, Dallas,Dallas, TXTX 7520975209 Received on (date) at (time) ER TEXAS REALTORS RESIDENTIAL LEASE APPLICATION ER TEXAS REALTORS USE OF THIS FORM BY PERSONS WHO ARE ©TexasNOT MEMBERSAssociationOF THEof REALTORS®,TEXAS ASSOCIATIONInc.! 2018! OF REALTORS®," #$ INC.!% IS NOT AUTHORIZED.& '% 5 6 7 2 8 Each occupant and co-applicant 18 years or older must submit a separate application. AUTHORIZATION TO RELEASE INFORMATION RELATED TO A RESIDENTIAL LEASE APPLICANT ISE OF THIS FORM...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 96 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
PAGE 20232023 W-2W-2andandEARNINGSEARNINGSSUMMARYSUMMARY P . Residential+ / Lease" + Application))/ concerning( 5 56095609 LaLa FoyFoy Bivd,Blvd, Dallas,Dallas, TXTX 7520975209 Reference Employee Copy Is your Earnings blueblue sectionsection is is your Earnings SummarySummary whichwhich providesprovides moremoredetail detailed This Wage and Tax armation your information siside onon thethe generationgeneration ofof your W-2W-2 statement.statemant. TheThe reversereverse Statement W-2 and genetal instructonsinstructions and otherother general information.fo...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 140 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
...EMERGENCY OBJECTION TO MOTION TO WITHDRAW AS COUNSEL AND REQUEST FOR EXPEDITED HEARING (INCLUDES • 11/10/2025 (Entry 130) — 4 pages — EMERGENCY M/ VACATE SETTING BEFORE ASSOCIATE JUDGE AND RESET ENFORCE EMERGENCY MOTION TO VACATE RESPONDENT’S WARNINGS TO THE COURT, AND REQUESTS FOR RELIEF/STABILIZATION 4 of 14DF-24-18010

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 141 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
• 11/21/2025 (Entry 133) — 6 pages — MOTION FOR DE NOVO DISTRICT JUDGE REVIEW OF PRIOR RULINGS AND EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER MOTION - MISCELLANEOUS • 12/12/2025 (Entry 136) — 25 pages — EMERGENCY MOTION FILING SEEKING IMMEDIATE RELIEF REQUIRING MEDICAL ACCESS • 12/19/2025 (Entry 143) — 26 pages — MOTION TO COMPEL (ENVELOPE #109297794 DOC001) • 12/19/2025 (Entry 145) — 18 pages — EMERGENCY ENFORCEMENT ORDER FOR MEDICAL PRESERVATION ORDER - MISC. • 12/23/2025 (Entry 146) — 2 pages — TEMPORARY RESTRAINING ORDER PROPOSED ORDER/JUD...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 143 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
...TING AND WITHHOLD FINAL ORDERS PENDING RESOLUTION OF OUTSTANDING MOTIONS, PROCEDURAL VIOLATIONS, AND DISCOVERY COLLAPSE • 11/21/2025 (Entry 132) — 2 pages — ORDER FOR DE NOVO REVIEW AND TRO PROPOSED ORDER/JUDGMENT • 11/21/2025 (Entry 133) — 6 pages — MOTION FOR DE NOVO DISTRICT JUDGE REVIEW OF PRIOR RULINGS AND EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER MOTION - MISCELLANEOUS • 11/25/2025 (Entry 134) — 6 pages — NOTICE OF FILING OF SWORN AFFIDAVIT - CORRECTING FALSE RECORDING ALLEGATIONS AND EX PARTE PREJUDICE • 12/12/2025 (Entry 136) — 25 pag...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 146 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
...Entry 121) — 6 pages — MOTION TO OBTAIN CERTIFIED TRANSCRIPT FOR JANUARY 7, 2025, HEARING AND REQUEST FOR PAYMENT FROM • 11/25/2025 (Entry 133) — 6 pages — MOTION FOR DE NOVO DISTRICT JUDGE REVIEW OF PRIOR RULINGS AND EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER MOTION - MISCELLANEOUS • 12/19/2025 (Entry 145) — 18 pages — EMERGENCY ENFORCEMENT ORDER FOR MEDICAL PRESERVATION ORDER - MISC. • 12/23/2025 (Entry 150) — 3 pages — TO ISSUE SUBPOENA REGARDING LEASE BUYOUT AND ASSOCIATED PAYMENTS MOTION - LEAVE • 12/23/2025 (Entry 151) — 181 pages — MOTI...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 148 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
• 01/14/2026 (Entry 180) — 11 pages — MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT • 01/26/2026 (Entry 185) — 5 pages — NOTICE OF PRESERVATION OF WITNESSES, & LARGE DISCOVERY PRODUCTION IN FINAL HOUR NOTICE OF PRESERVATION OF WITNESSES, & LARGE DISCOVERY PRODUCTION IN FINAL HOUR 7. DUE PROCESS / RECORD PRESERVATION / EX PARTE CONCERNS / COURT REPORTER / VERBATIM RECORD 2025 • 04/24/2025 (Entry 56) — 1 page — MOTION FOR NOTICE PRIOR TO ANY DISMISSAL PROPOSED ORDER ON MOTION FOR NOTICE PRIOR TO ANY DISMISSAL • 04/24/2025 (En...

Review suggested categories

Edit Categories
Open PDFDownload PDF

Exhibit Map - Recusal Supplement

# 2026-06-16 Respondent / Jason Notice Of Filing Page 149 EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
StatusHigh confidenceNeeds category review
...(Entry 130) — 4 pages — EMERGENCY M/ VACATE SETTING BEFORE ASSOCIATE JUDGE AND RESET ENFORCE EMERGENCY MOTION TO VACATE • 11/11/2025 (Entry 131) — 2 pages — ORDER FOR DE NOVO REVIEW AND TRO PROPOSED ORDER/JUDGMENT • 11/21/2025 (Entry 132) — 2 pages — ORDER FOR DE NOVO REVIEW AND TRO PROPOSED ORDER/JUDGMENT • 11/21/2025 (Entry 133) — 6 pages — MOTION FOR DE NOVO DISTRICT JUDGE REVIEW OF PRIOR RULINGS AND EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER MOTION - MISCELLANEOUS • 11/25/2025 (Entry 134) — 6 pages — NOTICE OF FILING OF SWORN AFFIDAVIT - C...

Review suggested categories

Edit Categories
Open PDFDownload PDF

PETITIONER’S MOTION TO SIGN AND ENTER FINAL DECREE OF DIVORCE

# 2026-06-16 Petitioner / Gwendolyn Order Page 5 PLEADING_BODY
2026-06-16 OUR Motion to Enter Final Decree Final.pdf
StatusHigh confidenceNeeds category review
THE MARRIAGE OF GWENDOLYN ULIJASZ-MCKEMIE AND JASON MCKEMIE FINAL DECREE OF DIVORCE On June 11, 2026, the Court heard this cause. 1. Appearances Petitioner, GWENDOLYN ULIJASZ-McKEMIE ("Wife"), appeared in person and through her attorneys of record, Jonathan D. Steele and Rebecca Lee Armstrong, announced ready for trial, and proved up her case on Petitioner's pleading and supersedes all prior petitions, including the December 2024 original pleading. Respondent, JASON EMORY McKEMIE (“Husband”), previously appeared and answered pro se. The Court finds this...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL

# 2026-06-15 Respondent / Jason Motion - Recuse Page 3 PLEADING_BODY
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
StatusHigh confidenceNeeds category review
..., investigators, agents, contractors, or anyone acting with or for her from accessing, inspecting, imaging, copying, using, relying on, benefiting from, or receiving any derivative benefit from Jason's stolen hard drives, evidence repositories, trial binders, Apple devices, computers, records, tools, briefcase, passport, medications, or seized litigation materials. 5. Require third-party source verification before any decree is signed or enforced, including healthcare/HSA/FSA/OLE/COBRA records, Accenture benefit/payroll records, SAPD/Dallas police record...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL

# 2026-06-15 Respondent / Jason Motion - Recuse Page 4 PLEADING_BODY
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
StatusHigh confidenceNeeds category review
ll. THE FIRST RECORDED EVENT IN THIS CASE MATTERS On January 7, 2025, at the protective-order hearing, Donna Tomlinson of Hargrave Family Law appeared and moved to withdraw from representing Petitioner. Judge Sandra Jackson expressed concern because serious allegations had been made, the matter involved a protective order, and a continuance had already been granted. Donna Tomlinson then stated on the record that proceeding forward with her representation of Gwendolyn Ulijasz-McKemie would violate her ethical oath as an officer of the court. That was not...

Review suggested categories

Edit Categories
Open PDFDownload PDF

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
Vil. FALSE DESTITUTION, THIRD-PARTY CONTRACTORS, AND SOURCE- RECORD COLLAPSE Petitioner declared destitution while earning extraordinary income. Her February 7, 2026 Amended roa $150,000 signing bonus, a $34,225.57 cash bonus, Inventory and Appraisement ists Accenture equity, Accenture 401(k) value, Ameriprise IRA/Roth IRA balances, alleged loans, a BMW M340xi with a claimed $55,902 balance, and a Glock firearm. The same inventory advances a July 26, 2024 marriage date contradicted by the signed informal-marriage declaration and other relationship eviden...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL

# 2026-06-15 Respondent / Jason Motion - Recuse Page 7 EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
StatusHigh confidenceNeeds category review
police-video evidence. IX. HEALTHCARE OBSTRUCTION IS LIFE-SAFETY, NOT ARGUMENT Healthcare is central to this Supplement because a decree signed on the proposed record would leave - Jason homeless, bankrupt, without transportation, without the - a man with congestive heart failure ability to afford COBRA, without functional HSA/FSA access, without surgeries, without reliable medication access, and without the practical ability to rebuild employment. Jason needs spinal surgery and surgery for a torn rotator cuff, ruptured bicep, and torn tendons. He has be...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL

# 2026-06-15 Respondent / Jason Motion - Recuse Page 8 EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
StatusHigh confidenceNeeds category review
...conduct appeared from the benefits-access conduct. The same report records that Petitioner then escalated into a statement that Jason drugged and raped her in 2024 while declining to make a sexual-assault report. SAPD Report No. SAPD26108224 records additional escalation involving alleged abandoned property, drug paraphernalia, marijuana, a broken Tile tracker, an AirTag, and references to multiple prior reports. Jason can supplement the dashcam/bodycam recordings this week, including Detective Vidal's statement that nothing points to Jason and everythin...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL

# 2026-06-15 Respondent / Jason Motion - Recuse Page 11 EXHIBIT_START
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
StatusHigh confidenceNeeds category review
...now chills his testimony. XVIII. FALSE REPORTING AND PROTECTIVE-ORDER MISUSE MUST BE ADDRESSED BEFORE DECREE A few months ago, Jason applied for a protective order. The judge did not review his evidence. The difficulty in this case is that what Petitioner does is more insidious than the typical domestic-violence fact pattern. It is not as obvious as a punch in the face or an assault with a baseball bat. It is less dramatic, but no less dangerous. Petitioner purchased a firearm and made threats. Jason has recordings in which Petitioner discusses his deat...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL

# 2026-06-15 Respondent / Jason Motion - Recuse Page 12 EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
StatusHigh confidenceNeeds category review
...THE RECORD HAS BEEN SCREAMING FOR EIGHTEEN MONTHS The issue before the Court is no longer whether the parties disagree. The issue is whether this record can honestly be described as ordinary. This record contains more than 120 pleadings, more than 1,400 pages of filings, repeated requests for a court reporter, repeated requests for transcripts, repeated requests for source records, repeated requests for third-party verification, more than seventy emergency filings, repeated healthcare motions, repeated enforcement motions, repeated discovery motions, re...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL

# 2026-06-15 Respondent / Jason Motion - Recuse Page 13 EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
StatusHigh confidenceNeeds category review
evidence needed to defend himself, without computers or tools needed to rebuild income, without access to bodycam/dashcam/transcript proof he cannot afford, with parents pulled into bankruptcy, with a father suffering dementia and deprived of memory-care stability, facing false criminal allegations, and at immediate risk of death from untreated or destabilized congestive heart failure and delayed surgical care. That is not a side issue. That is the emergency. XXI. PROPOSED WRITTEN FINDINGS REQUESTED BEFORE ANY DECREE ACTION testimony was taken, or trial...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL

# 2026-06-15 Respondent / Jason Motion - Recuse Page 14 EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
StatusHigh confidenceNeeds category review
14.The Court has been notified that Jason objects to any final decree, fee award, sanctions award, enforcement step, or trial ruling entered before written resolution of Recusal No. 3 and this Supplement. XXII. REQUEST FOR ORDER 15.grantrecusal or refer Recusal No. 3 and this Supplement for decision before any decree action; 16. stay rendition, signature, entry, transmission, enforcement, fee awards, sanctions, and decree action pending written recusal resolution; 17.orderimmediatethird-partysourceverification of healthcare, HSA/FSA, OLE, COBRA, plan ele...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL

# 2026-06-15 Respondent / Jason Motion - Recuse Page 15 EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
StatusHigh confidenceNeeds category review
Marriage timeline Sealed in-camera Shows proposed marital timeline is false submission; Declaration of and property division premise is Informal Marriage; domestic inverted. partnership; Ameriprise/POA/witness materials Healthcare ife-safety Healthcare PO materials; Shows decree could cut off medication, ERISA/EBSA notices; COBRA, surgery, HSA/FSA access, and Accenture/OLE/COBRA CHF stability. records; medical letters Financial collapse Amended Inventory; Shows false destitution, missing source discovery deficiency filings; records, alleged loans, and Ac...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL

# 2026-06-15 Respondent / Jason Motion - Recuse Page 17 EXHIBIT_START
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
StatusHigh confidenceNeeds category review
APPENDIX A UNSWORN DECLARATION OF CHRISTOPHER McNALLY My name is Christopher McNally. I am over eighteen years of age. My address is 228 Millbridge Rd., Riverside, Illinois 60546 and my birthday is August 24,1976. I am of sound mind, competent to make this declaration, and the facts stated below are within my personal knowledge and are true and correct. This declaration is provided only in response to subpoena/court testimony request and is not contact with Gwendolyn Ulijasz. I submit this declaration in response to a subpoena/request for sworn testimony...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL

# 2026-06-15 Respondent / Jason Motion - Recuse Page 19 EXHIBIT_START
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
StatusHigh confidenceNeeds category review
...dings during the July bench trial, and the recent June requests for body- attachment relief, appear calculated to disrupt my ability to comply with the subpoena and provide testimony as a material witness. 16. I have documents, records, messages, court papers, police reports, or other materials that may corroborate my testimony. 17. I Iam willing to appear for testimony, provide documents, and answer questions under oath, subject to appropriate court process and protection from any allegation that my participation is prohibited contact. I declare under p...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS

# 2026-06-12 Respondent / Jason Objections - Misc Page 2 PROPOSED_ORDER_OR_ORDER
RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS_55158B69.pdf
StatusHigh confidenceNeeds category review
healthcare/OQLE/HSA/FSA issues, stolen-evidence issues, source-record issues, de novo/trial- readiness issues, and non-waiver issues identified below. Respondent will supplement exhibits and supporting records as soon as available. Respondent requests that emergency relief not be denied or delayed solely because exhibits are being supplemented on an emergency rolling basis due to Respondent's medical collapse, financial collapse, lack of phone service, lack of funds, stolen trial materials, stolen hard drives, stolen evidence repositories, and lack of me...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS

# 2026-06-12 Respondent / Jason Objections - Misc Page 4 EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS_55158B69.pdf
StatusHigh confidenceNeeds category review
...cuse; 3. Respondent's Proposed Order; 4. Respondent's Notice of Non-Waiver; 5. Respondent's Supplemental Verified Notice of Current Medical Emergency; 6. Respondent's de novo/trial-readiness issues; 7. Respondent's healthcare/QLE/HSA/FSA issues; 8. Respondent's stolen-evidence issues; 4 of 14 Copy from re:SearchTX

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS

# 2026-06-12 Respondent / Jason Objections - Misc Page 5 EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS_55158B69.pdf
StatusHigh confidenceNeeds category review
9. Respondent's source-record issues; 10.Respondent's Rule 204 issues; 11.Respondent'sfinancial-stabilizationandaccess-to-counselissues; 12.Respondent'ssanctions,contempt,civil-claim,attorney-misconduct,criminal-referral, and non-waiver issues. Respondent objects to any decree that uses a global catchall denial to dispose of Respondent's recusal objection, medical-incapacity objection, no-bridge objection, de novo request, healthcare/OLE/HSA/FSA issues, source-record issues, stolen-evidence issues, Rule 204 request, financial-relief requests, sanctions r...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS

# 2026-06-12 Respondent / Jason Objections - Misc Page 6 EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS_55158B69.pdf
StatusHigh confidenceNeeds category review
Respondent objects to any decree that rewards Petitioner's theft, evidence theft, hard-drive theft, stolen legal work product, stolen trial materials, stolen healthcare records, stolen financial records, stolen device evidence, and manufactured law-enforcement narratives. Respondent further objects to any decree that permits Gwendolyn Laura Ulijasz, her counsel, experts, vendors, investigators, agents, contractors, or anyone acting with or for her to access, inspect, image, copy, test, review, rely on, use, disclose, control, receive, use derivatively, u...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS

# 2026-06-12 Respondent / Jason Objections - Misc Page 7 EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS_55158B69.pdf
StatusHigh confidenceNeeds category review
healthcare obstruction, false QLE processing, HSA/FSA obstruction, and functional-access noncompliance remain unresolved. functional benefit denial, refusal to produce the administrative record, HSA/FSA obstruction, and medical harm. Respondent has repeatedly advised this Court that healthcare is not collateral. It is life-safety. A signed healthcare order exists. Petitioner has represented compliance while functional access remained obstructed. Respondent has evidence that Petitioner produced false or nonfunctional HSA compliance, retained control over...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS

# 2026-06-12 Respondent / Jason Objections - Misc Page 8 EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS_55158B69.pdf
StatusHigh confidenceNeeds category review
Respondent further objects because he is in total financial collapse. There is no gas, no food money, no medication money, no working phone service, no available credit, no loans, no stable housing, no litigation funding, no printer, no trial materials, no access to stolen evidence repositories, and no ability to meaningfully participate unless emergency financial and litigation-access relief is entered. Respondent's financial collapse is not waiver. It is the result of Petitioner's financial strangulation, healthcare obstruction, source-record concealme...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS

# 2026-06-12 Respondent / Jason Objections - Misc Page 9 EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS_55158B69.pdf
StatusHigh confidenceNeeds category review
11.rule on Respondent's no-bridge objection; 12.rule on Respondent's de novo/trial-readiness objections; 13.rule on Respondent's healthcare/QLE/HSA/FSA objections; 14.rule on Respondent's stolen-evidence, stolen hard-drive, stolen legal-work-product, stolen trial-material, and stolen device-evidence objections; 15.rule on Respondent's source-record, forensic-accounting, estate-reconstruction, reimbursement, reconstitution, and disproportionate-division objections; 16.rule on Respondent's Rule 204 request and related threshold-discovery objections; 17.rul...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS

# 2026-06-12 Respondent / Jason Objections - Misc Page 10 EXHIBIT_START
RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS_55158B69.pdf
StatusHigh confidenceNeeds category review
1. signed/unsigned decree status; 2. docket entry and re: SearchTX status; 3. admitted exhibit ist; 4. court reporter transcript; 5. no-bridge emails; 6. bodycam/video records; 7. Apple/Find My records; 8. SAPD property-chain records; 9. SAPD reports and bodycam; 10.Dallas police/constable records; 1 healthcare/HSA/FSA records; 12.EBSA/DOL records; 13.sourcefinancial records; 1 Accenture/Businessolver/Aetna/HSA/FSA records; 15.lease-buyout, writ, eviction, mover, U-Haul, payment, vendor, and chain-of-custody records; 16.declarations, exhibits, screenshot...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS

# 2026-06-12 Respondent / Jason Objections - Misc Page 11 EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS_55158B69.pdf
StatusHigh confidenceNeeds category review
without stolen evidence repositories, and without meaningful litigation infrastructure because of the manufactured collapse described in Respondent's filings. IX. NON-WAIVER Respondent does not waive any objection, claim, defense, request, relief, sanctions request, contempt request, mandamus issue, appellate issue, civil claim, criminal-referral issue, attorney-misconduct issue, healthcare-obstruction issue, source-record issue, stolen-evidence issue, financial-sabotage issue, false-reporting issue, digital-intrusion issue, Rule 204 issue, protective-re...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS

# 2026-06-12 Respondent / Jason Objections - Misc Page 12 EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS_55158B69.pdf
StatusHigh confidenceNeeds category review
6. deliver, refer, and address Respondent's verified pre-evidence recusal motion under Rule 18a; 7. rule on Respondent's emergency filings, medical-incapacity objections, no-bridge objections, healthcare objections, stolen-evidence objections, source-record objections, de novo/trial-readiness objections, Rule 204 issues, financial- stabilization requests, access-to-counsel requests, sanctions requests, non-waiver filings, and proposed order; 8 . deny in full any request for fees, costs, sanctions, expert expenses, vendor expenses, protective expenses, di...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL UNDER TEXAS RULE OF CIVIL PROCEDURE 18a

# 2026-06-11 Respondent / Jason Motion - Recuse Page 1 PLEADING_START_FILE_MARKED
VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL_8A0E2F01.pdf
StatusHigh confidenceNeeds category review
...the minimum structural conditions necessary for trial: source financial records, healthcare compliance, HSA/FSA access, court reporter protection, subpoena authority, de novo/trial-readiness review, adequate trial time, and preservation of evidence. Petitioner and her counsel may seek fees and claim delay. That request should be denied in full. The delay in this case has been caused by Petitioner's financial concealment, healthcare obstruction, Page | of 6 Copy from re:SearchTX

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL UNDER TEXAS RULE OF CIVIL PROCEDURE 18a

# 2026-06-11 Respondent / Jason Motion - Recuse Page 2 PLEADING_BODY
VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL_8A0E2F01.pdf
StatusHigh confidenceNeeds category review
...ear statement of the legal basis and good cause on the record before any evidence is offered. 4. Preservation of Respondent's objections, including recusal, mandamus, de novo, due process, stolen-evidence, healthcare, discovery, source-record, financial-relief, trial-readiness, and appellate complaints. 5. Interim ancillary protection prohibiting Gwendolyn Laura Ulijasz, her counsel, experts, vendors, investigators, agents, contractors, and anyone acting with or for her from having any access to, contact with, use of, control over, disclosure of, alterat...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL UNDER TEXAS RULE OF CIVIL PROCEDURE 18a

# 2026-06-11 Respondent / Jason Motion - Recuse Page 3 PLEADING_BODY
VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL_8A0E2F01.pdf
StatusHigh confidenceNeeds category review
A reasonable person could question impartiality where the case is forced to final trial despite known structural impossibility, stolen evidence repositories, stolen hard drives, stolen trial materials, unavailable source financial records, unresolved healthcare/OLE records, unresolved de novo/trial- readiness issues, rejected or unresolved adequate-trial-time requests, and Respondent's present inability to safely appear or present evidence. NEW MATERIAL FACTS SINCE THE PRIOR RECUSAL PROCEEDINGS Since the prior recusal proceedings, Petitioner unlawfully e...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL UNDER TEXAS RULE OF CIVIL PROCEDURE 18a

# 2026-06-11 Respondent / Jason Motion - Recuse Page 4 PLEADING_BODY
VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL_8A0E2F01.pdf
StatusHigh confidenceNeeds category review
Petitioner siphoned approximately $650,000 from marital accounts, declared destitution, and eft Respondent carrying approximately $25,000 per month in marital-estate obligations while Petitioner earned approximately $125,000 per month and Respondent had no income, no counsel, no access to survival funds, and was recovering from spinal surgery. Petitioner then committed perjury through false sworn statements suggesting financial helplessness, while concealing substantial resources and spending heavily on counsel, vendors, investigators, and third-party li...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL UNDER TEXAS RULE OF CIVIL PROCEDURE 18a

# 2026-06-11 Respondent / Jason Motion - Recuse Page 5 EXHIBIT_START
VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL_8A0E2F01.pdf
StatusHigh confidenceNeeds category review
REQUEST FOR RULING BEFORE EVIDENCE Respondent requests that this Motion be addressed before any evidence is offered. Respondent objects to any witness being called, any exhibit being offered, or any trial evidence being taken before this Motion is decided or referred. lf the Court proceeds despite this Motion, Respondent requests a clear ruling on the record and states that he appears, if at all, under objection and without waiving recusal, mandamus, de novo, due- process, healthcare, discovery, stolen-evidence, trial-readiness, financial-relief, court-r...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S SUPPLEMENTAL VERIFIED NOTICE OF CURRENT MEDICAL EMERGENCY, INABILITY TO SAFELY APPEAR AFTER TRIAL SETTING, REQUEST TO HALT PROCEEDINGS, REQUEST FOR REMOTE APPEARANCE, AND NON-WAIVER OF ALL OBJECTIONS

# 2026-06-11 Respondent / Jason Miscellaneous Event Page 2 PLEADING_BODY
SUPPLEMENTAL EMERGENCY FILING_07490B53.pdf
StatusHigh confidenceNeeds category review
...ting to evidence being taken in his absence. Respondent is not consenting to final orders. Respondent is not waiving recusal, mandamus, appellate rights, due process, de novo/trial- readiness issues, healthcare objections, stolen-evidence objections, discovery objections, source- record objections, court-reporter objections, or financial-relief objections. Page 2 of 7 Copy from re:SearchTX

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S SUPPLEMENTAL VERIFIED NOTICE OF CURRENT MEDICAL EMERGENCY, INABILITY TO SAFELY APPEAR AFTER TRIAL SETTING, REQUEST TO HALT PROCEEDINGS, REQUEST FOR REMOTE APPEARANCE, AND NON-WAIVER OF ALL OBJECTIONS

# 2026-06-11 Respondent / Jason Miscellaneous Event Page 3 EXHIBIT_START
SUPPLEMENTAL EMERGENCY FILING_07490B53.pdf
StatusHigh confidenceNeeds category review
...t reporter; 5. Respondent's request that medical incapacity not be treated as waiver; 6. Respondent's request for healthcare preservation; 7. Respondent's request for de novo/trial-readiness hearing before trial; 8. Respondent's request for protection of stolen hard drives, stolen evidence repositories, stolen legal work product, stolen trial materials, stolen printer, stolen printer ink, stolen binders, stolen medications, and stolen device evidence; 9. Respondent's request that no evidence be taken and no final order be signed while Respondent is medic...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S SUPPLEMENTAL VERIFIED NOTICE OF CURRENT MEDICAL EMERGENCY, INABILITY TO SAFELY APPEAR AFTER TRIAL SETTING, REQUEST TO HALT PROCEEDINGS, REQUEST FOR REMOTE APPEARANCE, AND NON-WAIVER OF ALL OBJECTIONS

# 2026-06-11 Respondent / Jason Miscellaneous Event Page 5 EXHIBIT_CONTINUATION
SUPPLEMENTAL EMERGENCY FILING_07490B53.pdf
StatusHigh confidenceNeeds category review
8. Provide remote appearance information immediately by email; 9. Rule on Respondent's recusal motion before evidence is received; 10. Rule on Respondent's emergency motion to abate, stay, or continue trial; 11. Preserve all mandamus, appellate, recusal, due-process, healthcare, stolen-evidence, discovery, source-record, court-reporter, de novo, financial-relief, and trial-readiness objections. Respondent further requests any other relief to which Respondent is entitled. Respectfully submitted, [Son fram Jason McKemie 539 W. Commerce St., Ste. 2010 Dalla...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S NOTICE OF NON-WAIVER OF SANCTIONS, CONTEMPT, FEE OBJECTIONS, CIVIL CLAIMS, ATTORNEY MISCONDUCT CLAIMS, AND OBJECTION TO TREATING ENGINEERED COLLAPSE AS WAIVER

# 2026-06-11 Respondent / Jason Notice Of Filing Page 1 PLEADING_START_FILE_MARKED
NOTICE OF NON-WAIVER OF SANCTIONS, CIVIL CLAIMS, ATTORNEY MISCONDUCT CLAIMS, AND OBJECTION_2BE3851C.pdf
StatusHigh confidenceNeeds category review
6/11/2026 1:26 PM DALLAS CO., TEXAS DF-24-18010 NO. THE MARRIAGE OF § § & § RESPONDENT'S NOTICE OF NON-WAIVER OF SANCTIONS, CONTEMPT, FEE OBJECTIONS, CIVIL CLAIMS, ATTORNEY MISCONDUCT CLAIMS, AND OBJECTION TO TREATING ENGINEERED COLLAPSE AS WAIVER TO THE HONORABLE COURT: Respondent, Jason McKemie, files this Notice before final trial, final orders, or any ruling that could be used to suggest waiver, abandonment, merger, release, adjudication, or consent. From this point forward, Jason McKemie is referred to as Respondent. Respondent does not waive sancti...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S NOTICE OF NON-WAIVER OF SANCTIONS, CONTEMPT, FEE OBJECTIONS, CIVIL CLAIMS, ATTORNEY MISCONDUCT CLAIMS, AND OBJECTION TO TREATING ENGINEERED COLLAPSE AS WAIVER

# 2026-06-11 Respondent / Jason Notice Of Filing Page 3 PLEADING_BODY
NOTICE OF NON-WAIVER OF SANCTIONS, CIVIL CLAIMS, ATTORNEY MISCONDUCT CLAIMS, AND OBJECTION_2BE3851C.pdf
StatusHigh confidenceNeeds category review
..., disqualification, disgorgement, disciplinary complaints, and referrals where legally supported; 18. Sanctions, contempt, enforcement, adverse inferences, exclusion, evidentiary remedies, fee denial, fee shifting against Petitioner/counsel, discovery sanctions, Rule 13 sanctions, Chapter 10 sanctions, Rule 215 sanctions, and any other remedy supported by the record; 19. Criminal referrals, law-enforcement referrals, insurance-fraud referrals, benefits-fraud referrals, disciplinary referrals, and referrals concerning theft, evidence theft, false reportin...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT'S NOTICE OF NON-WAIVER OF SANCTIONS, CONTEMPT, FEE OBJECTIONS, CIVIL CLAIMS, ATTORNEY MISCONDUCT CLAIMS, AND OBJECTION TO TREATING ENGINEERED COLLAPSE AS WAIVER

# 2026-06-11 Respondent / Jason Notice Of Filing Page 4 PLEADING_BODY
NOTICE OF NON-WAIVER OF SANCTIONS, CIVIL CLAIMS, ATTORNEY MISCONDUCT CLAIMS, AND OBJECTION_2BE3851C.pdf
StatusHigh confidenceNeeds category review
...tober31,2025, the same day she testified she would not obstruct healthcare. The healthcare order remains functionally noncomplied with. NO WAIVER OF MANDAMUS, APPEAL, DE NOVO, RECUSAL, DUE PROCESS, OR COURT-REPORTER COMPLAINTS Respondent does not waive mandamus, emergency appellate relief, appeal, de novo complaints, recusal complaints, due-process complaints, trial-readiness complaints, court-reporter complaints, discovery complaints, source-record complaints, healthcare complaints, stolen-evidence complaints, or complaints based on inadequate trial tim...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT JASON MCKEMIE'S VERIFIED EMERGENCY MOTION TO ABATE, STAY, OR CONTINUE TRIAL; REQUEST FOR REMOTE APPEARANCE; REQUEST FOR DE NOVO TRIAL-READINESS HEARING; REQUEST FOR HEALTHCARE PRESERVATION, TEMPORARY FINANCIAL RELIEF, COURT REPORTER, NON-WAIVER, AND PROTECTION OF STOLEN EVIDENCE

# 2026-06-11 Respondent / Jason Motion - Miscellaneous Page 1 PLEADING_START_FILE_MARKED
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
StatusHigh confidenceNeeds category review
6/11/2026 1:17 PM DALLAS CO., TEXAS DF-24-18010 NO. THE MARRIAGE OF § § § RESPONDENT JASON MCKEMIE'S VERIFIED EMERGENCY MOTION TO ABATE, STAY, OR CONTINUE TRIAL; REQUEST FOR REMOTE APPEARANCE; REQUEST FOR DE NOVO TRIAL-READINESS HEARING; REQUEST FOR HEALTHCARE PRESERVATION, TEMPORARY FINANCIAL RELIEF, COURT REPORTER, NON-WAIVER, AND PROTECTION OF STOLEN EVIDENCE TO THE HONORABLE COURT: Respondent, Jason McKemie, files this Verified Emergency Motion before any final trial evidence is taken on June 11,2026. From this point forward, Jason McKemie is referre...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT JASON MCKEMIE'S VERIFIED EMERGENCY MOTION TO ABATE, STAY, OR CONTINUE TRIAL; REQUEST FOR REMOTE APPEARANCE; REQUEST FOR DE NOVO TRIAL-READINESS HEARING; REQUEST FOR HEALTHCARE PRESERVATION, TEMPORARY FINANCIAL RELIEF, COURT REPORTER, NON-WAIVER, AND PROTECTION OF STOLEN EVIDENCE

# 2026-06-11 Respondent / Jason Motion - Miscellaneous Page 2 PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
StatusHigh confidenceNeeds category review
4. Do not treat Respondent's medical collapse, lack of transportation, no phone service, homelessness, no gas money, unsafe vehicle, lack of parking funds, broken laptop screen, hospitalization, inability to physically appear, or need to seek emergency medical care as waiver, abandonment, failure to prosecute, consent to trial, or consent to final orders. 5. Order that all proceedings occur on the record with a court reporter and that no off-record trial-readiness, de novo, recusal, healthcare, financial, or evidence-theft matters be resolved without a v...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT JASON MCKEMIE'S VERIFIED EMERGENCY MOTION TO ABATE, STAY, OR CONTINUE TRIAL; REQUEST FOR REMOTE APPEARANCE; REQUEST FOR DE NOVO TRIAL-READINESS HEARING; REQUEST FOR HEALTHCARE PRESERVATION, TEMPORARY FINANCIAL RELIEF, COURT REPORTER, NON-WAIVER, AND PROTECTION OF STOLEN EVIDENCE

# 2026-06-11 Respondent / Jason Motion - Miscellaneous Page 3 PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
StatusHigh confidenceNeeds category review
THIS 1S A AMANUFACTURED COLLAPSE, NOT LATE NOTICE Petitioner and her counsel will say this is late. That is false. Respondent has warned the Court for seventeen months that Petitioner was using false reports, protective-order narratives, healthcare obstruction, financial strangulation, discovery obstruction, housing sabotage, digital access, third- party vendors, and court process to destroy his ability to survive and defend himself. The record already includes repeated requests for emergency financial relief, healthcare enforcement, HSA/FSA access, cour...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT JASON MCKEMIE'S VERIFIED EMERGENCY MOTION TO ABATE, STAY, OR CONTINUE TRIAL; REQUEST FOR REMOTE APPEARANCE; REQUEST FOR DE NOVO TRIAL-READINESS HEARING; REQUEST FOR HEALTHCARE PRESERVATION, TEMPORARY FINANCIAL RELIEF, COURT REPORTER, NON-WAIVER, AND PROTECTION OF STOLEN EVIDENCE

# 2026-06-11 Respondent / Jason Motion - Miscellaneous Page 4 PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
StatusHigh confidenceNeeds category review
and Jason Parro. Those matters are relevant because this case follows the same pattern: false narratives, police involvement, protective-order weaponization, financial strangulation, reputational destruction, healthcare interference, and itigation used as a method of control and destruction. Respondent told law enforcement that he feared for his safety and future because he had discovered extensive documentation showing a long pattern of malicious litigation and that Petitioner was going to file false police reports and a false protective order against h...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT JASON MCKEMIE'S VERIFIED EMERGENCY MOTION TO ABATE, STAY, OR CONTINUE TRIAL; REQUEST FOR REMOTE APPEARANCE; REQUEST FOR DE NOVO TRIAL-READINESS HEARING; REQUEST FOR HEALTHCARE PRESERVATION, TEMPORARY FINANCIAL RELIEF, COURT REPORTER, NON-WAIVER, AND PROTECTION OF STOLEN EVIDENCE

# 2026-06-11 Respondent / Jason Motion - Miscellaneous Page 5 PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
StatusHigh confidenceNeeds category review
without printer ink, without a functioning laptop screen, and without the hard drives, binders, paper files, and legal work product Petitioner stole. Respondent has been living out of a vehicle and moving between Houston, Dallas, and Bryan under medical instability. Respondent's vehicle is in repossession status and unsafe. Respondent cannot safely drive four hours without phone service, gas money, headlights, parking funds, trial materials, evidence repositories, or medical stability. Respondent's parents are now also in bankruptcy. Respondent understan...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT JASON MCKEMIE'S VERIFIED EMERGENCY MOTION TO ABATE, STAY, OR CONTINUE TRIAL; REQUEST FOR REMOTE APPEARANCE; REQUEST FOR DE NOVO TRIAL-READINESS HEARING; REQUEST FOR HEALTHCARE PRESERVATION, TEMPORARY FINANCIAL RELIEF, COURT REPORTER, NON-WAIVER, AND PROTECTION OF STOLEN EVIDENCE

# 2026-06-11 Respondent / Jason Motion - Miscellaneous Page 6 PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
StatusHigh confidenceNeeds category review
...pposing party stole the evidence needed to try the case against her. After the writ/eviction activity was challenged because Respondent had not been properly served, the judge personally called the constable and directed that the activity stop. The constable entered the residence and told Petitioner to stop what she was doing and remove everything from her vehicle. Petitioner then fled the scene against the officer's orders. Page 6 of 9 Copy from re:SearchTX

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT JASON MCKEMIE'S VERIFIED EMERGENCY MOTION TO ABATE, STAY, OR CONTINUE TRIAL; REQUEST FOR REMOTE APPEARANCE; REQUEST FOR DE NOVO TRIAL-READINESS HEARING; REQUEST FOR HEALTHCARE PRESERVATION, TEMPORARY FINANCIAL RELIEF, COURT REPORTER, NON-WAIVER, AND PROTECTION OF STOLEN EVIDENCE

# 2026-06-11 Respondent / Jason Motion - Miscellaneous Page 7 PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
StatusHigh confidenceNeeds category review
...lity, lease buyout, income, bonuses, equity, VEIP, or source-record completeness unless supported by institution-origin source records and plan-administrator records. DE NOVO AND TRIAL-READINESS ISSUES MUST BE HEARD BEFORE TRIAL Respondent timely requested de novo review and trial-readiness relief. Respondent objects to the Court treating de novo/trial-readiness issues as a brief pretrial argument immediately before a few-hour trial. Respondent requests an actual de novo/trial-readiness hearing before trial evidence begins, including the ability to prese...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT JASON MCKEMIE'S VERIFIED EMERGENCY MOTION TO ABATE, STAY, OR CONTINUE TRIAL; REQUEST FOR REMOTE APPEARANCE; REQUEST FOR DE NOVO TRIAL-READINESS HEARING; REQUEST FOR HEALTHCARE PRESERVATION, TEMPORARY FINANCIAL RELIEF, COURT REPORTER, NON-WAIVER, AND PROTECTION OF STOLEN EVIDENCE

# 2026-06-11 Respondent / Jason Motion - Miscellaneous Page 8 PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
StatusHigh confidenceNeeds category review
product of medical emergency, financial strangulation, evidence theft, healthcare obstruction, and transportation impossibility - not waiver. Respondent preserves mandamus, appeal, de novo, recusal, due-process, discovery, healthcare, source-record, financial-relief, court-reporter, stolen-evidence, and trial-readiness complaints. REQUEST Respondent requests that the Court grant the relief requested above, abate, stay, or continue trial, preserve healthcare, preserve stolen evidence, prohibit Petitioner and her agents from accessing or benefiting from st...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT JASON MCKEMIE'S VERIFIED EMERGENCY MOTION TO ABATE, STAY, OR CONTINUE TRIAL; REQUEST FOR REMOTE APPEARANCE; REQUEST FOR DE NOVO TRIAL-READINESS HEARING; REQUEST FOR HEALTHCARE PRESERVATION, TEMPORARY FINANCIAL RELIEF, COURT REPORTER, NON-WAIVER, AND PROTECTION OF STOLEN EVIDENCE

# 2026-06-11 Respondent / Jason Motion - Miscellaneous Page 9 CERTIFICATE_OF_SERVICE
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
StatusHigh confidenceNeeds category review
UNSWORN DECLARATION OF JASON MCKEMIE My name is Jason McKemie. My date of birth is April 8, 1976. My address is 539 W. Commerce St., Ste. 2010, Dallas, Texas 75208. | declare under penalty of perjury that the factual statements in this Verified Emergency Motion are true and correct based on my personal knowledge, documents, videos, audio, court filings, records reviewed by me, and matters stated on information and belief where the basis for that belief is identified. Executed in Texas on June 11,2026. Jason McKemie and/or email on June11,2026. Jason McKe...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT JASON MCKEMIE'S VERIFIED EMERGENCY MOTION TO ABATE, STAY, OR CONTINUE TRIAL; REQUEST FOR REMOTE APPEARANCE; REQUEST FOR DE NOVO TRIAL-READINESS HEARING; REQUEST FOR HEALTHCARE PRESERVATION, TEMPORARY FINANCIAL RELIEF, COURT REPORTER, NON-WAIVER, AND PROTECTION OF STOLEN EVIDENCE

# 2026-06-11 Respondent / Jason Motion - Miscellaneous Page 10 FILING_STAMP_OR_ESERVICE
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
StatusHigh confidenceNeeds category review
on the date and to the persons listed below. The rules governing Envelope ID: 116028476 Filing Code Description: Motion - Miscellaneous Filing Description: VERIFIED EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL Status as of 6/12/2026 8:58 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Rebecca LArmstrong rebecca@armstronglawtexas.com 6/11/2026 1:17:47 PM SENT Terra Aguirre terra@armstronglawtexas.com 6/11/2026 1:17:47 PM SENT Lauren N.Shaw lauren@armstronglawtexas.com 6/11/2026 1:17:47 PM SENT Jason McKemie jmckemie@mckemie.net 6/...

Review suggested categories

Edit Categories
Open PDFDownload PDF

RESPONDENT JASON MCKEMIE'S VERIFIED EMERGENCY MOTION TO ABATE, STAY, OR CONTINUE TRIAL; REQUEST FOR REMOTE APPEARANCE; REQUEST FOR DE NOVO TRIAL-READINESS HEARING; REQUEST FOR HEALTHCARE PRESERVATION, TEMPORARY FINANCIAL RELIEF, COURT REPORTER, NON-WAIVER, AND PROTECTION OF STOLEN EVIDENCE

# 2026-06-11 Respondent / Jason Motion - Miscellaneous Page 1 PLEADING_START_FILE_MARKED
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
StatusHigh confidenceNeeds category review
6/11/2026 1:17 PM DALLAS CO., TEXAS DF-24-18010 NO.___________________________________________ THE MARRIAGE OF § § § RESPONDENT JASON MCKEMIE'S VERIFIED EMERGENCY MOTION TO ABATE, STAY, OR CONTINUE TRIAL; REQUEST FOR REMOTE APPEARANCE; REQUEST FOR DE NOVO TRIAL-READINESS HEARING; REQUEST FOR HEALTHCARE PRESERVATION, TEMPORARY FINANCIAL RELIEF, COURT REPORTER, NON-WAIVER, AND PROTECTION OF STOLEN EVIDENCE TO THE HONORABLE COURT: Respondent, Jason McKemie, files this Verified Emergency Motion before any final trial evidence is taken on June 11, 2026. From...

Review suggested categories

Edit Categories
Open PDFDownload PDF