All topics
Eviction / writ
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 1
PLEADING_START_FILE_MARKED
Exhibit Map - Recusal Supplement.pdf
...0 NO. THE MARRIAGE OF § § & § RESPONDENT'S EMERGENCY SUPPLEMENTAL EXHIBIT MAP AND FILING INDEX Supporting Pending Recusal, Objection to Decree Signature, and Request for Written Ruling NOTICE REGARDING EMERGENCY TIMING AND VIDEO/AUDIO whether to render, sign, enter, transmit, enforce, or approve Petitioner's proposed decree. The purpose is to identify the exhibit packets and direct the Court to the already-indexed evidence supporting the Emergency Supplement. Videos and audio are not embedded in this emergency packet due to time and file-size limitations...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 2
EXHIBIT_START
Exhibit Map - Recusal Supplement.pdf
...e 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 B Shows forced absence, timeline, prescription medication theft including heart medications, theft of approximately 60TB of litigation hard drives, property destruction, trash commingling, security disruption, and valuables in or near trash. HEALTHCARE OBSTRUCTION CONTRADICTIONS MATRIX https://tinyurl.com/Healt...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 3
EXHIBIT_START
Exhibit Map - Recusal Supplement.pdf
...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. SIGNED HEALTHCARE BE...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 4
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...me during difficult periods, including my wife’s battle with cancer. Jason consistently works to de-escalate conflict rather than create it. II. April 16, 2026 Attempted Eviction and Property Destruction 3. On April 16, 2026, I personally observed the aftermath of an attempted eviction at Jason McKemie’s residence located at 5609 La Foy Blvd., Dallas, Texas 75209. 4. At approximately 6:02 p.m., Jason called me. He told me he had just left a court hearing, that an eviction had been attempted at his residence, that his possessions were being moved out of t...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 7
EXHIBIT_START
Exhibit Map - Recusal Supplement.pdf
NO.__________________________________________ APPLICANT § GWENDOLYN LAURA ULIJASZ § TEXAS PHOTO EXHIBIT W | WRIT AFTERMATH I. PRIOR COURT HISTORY AND NOTICE REGARDING PETITIONER’S ACCESS TO THE RESIDENCE Petitioner repeatedly requested access to the marital residence through pleadings and during court hearings. On January 6, 2026, during a motion-to-compel hearing, Judge Abendroth initially approved access over Applicant’s objections. After reviewing the history, however, the Court stated that Petitioner had already been given more than enough time to re...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 8
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...cess. II. TIMELINE OF KNOWN APRIL 16, 2026, EVENTS 2:37 p.m. — Applicant left the residence to go to court after identifying defective service and attempting to stop the writ. Applicant closed the garage before leaving. 2:39 p.m. — Petitioner’s security personnel backed into the rear driveway. The garage was opened from inside. 2:39 p.m. — Security cameras began being disabled, including cameras being ripped from walls. Fifteen cameras on one system were disabled before Petitioner arrived. 2:46 p.m. — Petitioner arrived by Uber with luggage, consistent w...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 9
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...the driver photographing Applicant through an open window using a DSLR camera. III. COORDINATED ENTRY AND DISABLEMENT OF SURVEILLANCE April 16, 2026 was not an ordinary writ execution. It was a coordinated evidence grab, asset seizure, property destruction event, and survival destabilization campaign. At approximately 2:37 p.m., Applicant left the residence to go to court after identifying defective service and attempting to stop the writ. Applicant closed the garage before leaving. Within minutes, Petitioner’s security personnel backed into the rear dr...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 11
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...s hard drives, medication, checkbook, and papers near his printer. He was told there was no time and that he had to leave immediately if he wanted any chance to stop the writ. No reasonable person would voluntarily leave behind medication, identification, litigation files, passport, tax records, cash, hard drives, and property needed for basic survival unless forced to do so. Applicant was forced to leave because the defective service created the exact emergency that required him to go to the courthouse immediately. Petitioner knew Applicant would leave....
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 12
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
VIII. CONSTABLE STATEMENT AND PETITIONER LEAVING WITH PROPERTY When Applicant left the courthouse around 5:30 p.m., he spoke with the constable. The constable stated that Petitioner had been inside boxing items from the attic and that he told her to stop and unload the SUV. The constable stated that Petitioner then got into the SUV and left with her security guards. When Applicant asked why the constable could not recover the property, the constable stated that he did not have authority to chase her. This confirms that Petitioner personally removed prope...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 14
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...nce seizure, property destruction event, and survival destabilization campaign. Applicant had warned the family court repeatedly that Petitioner would use a manufactured eviction, forced absence, or controlled access to seize evidence, destroy property, restrict access to marital resources, and further destabilize him. That is exactly what occurred. Within minutes of Applicant’s compelled departure, Petitioner’s security personnel entered, cameras were disabled, Petitioner arrived with outdated identification, property was separated and removed, litigati...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 15
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
\ APRIL 16TH / WRIT DESTRUCTION High-value items were left in residence while other property was removed or destroyed, reflecting selective and non-standard handling. Bazaart_ED3EFD84-CBAB9726BBCAC.JPEG APRIL 16TH / WRIT DESTRUCTION After providing an invalid ID, Petitioner took control of the property removal; including exclusive choice over everything she desired to keep, of what was disposed, and of what Respondent would be permitted to have after the writ concluded. IMG_1859.jpg APRIL 16TH / WRIT DESTRUCTION Elliptical machine abandoned. IMG_1896.jpg...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 16
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
APRIL 16TH / WRIT DESTRUCTION APRIL 16TH / WRIT DESTRUCTION Electronics and heavy items were placed into Glassware, clothing, and household items wardrobe boxes, creating excessive weight commingled in trash bags and discarded and foreseeable damage. Several wardrobe in piles; fragile items broken. boxes appeared to be “loaded in place,” with glass and breakable items at the bottom and A large pile in the front of the residence heavier equipment stacked on top, mostly was over 5 ft tall, with significant property electronics. None of the wardrobe boxes d...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 17
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
APRIL 16 WRIT DESTRUCTION APRIL 16 WRIT DESTRUCTION ALL MY SONS / THIRD-PARTY PAYMENT When Applicant returned after the writ was stopped, a 26-foot “All My Sons” moving truck was unloading his property. Applicant spoke with the booking manager, who stated the movers were contracted only to move property from the lawn to the truck and could not bill Gwendolyn Ulijasz because they did not have her payment information. The booking manager identified the payment source as Merritt McClayton Rahilly, Gwendolyn’s close friend, and stated that Gwendolyn was expl...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 18
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
APRIL 16 / WRIT AFTERMATH The recovered bags contained unrelated property from multiple rooms mixed with trash, liquids, food, broken debris, electronics, legal papers, photographs, books, kitchen items, and bathroom items. The purchased S/M/L boxes were not used. Instead, wardrobe boxes were packed with non-wardrobe items after my clothing was identified to constables as property to remain in the residence. Fragile items were placed beneath heavy items, including large power supplies, crushing property below, including my great-grandmother’s crystal. Se...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 19
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
APRIL 16 / WRIT AFTERMATH Applicant’s safe remained sitting on a closet shelf. IMG_2197.jpg APRIL 16 / WRIT AFTERMATH Applicant’s clothes were left in residence after completion of writ. The only clothes moved out were handmade blazers and suits found in bottom of wardrobe box with potted plants thrown on top of them, covering them in dirt and debris. IMG_2198.jpg APRIL 16 / WRIT AFTERMATH Family Crystal & China Lost. IMG_9471635E-B99D-43B8-8504-9E01D9209CFE.JPEG APRIL 16 / WRIT AFTERMATH APRIL 16 / WRIT AFTERMATH File cabinet still in residence. Drawers...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 20
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
APRIL 16 / WRIT AFTERMATH A Photograph taken shortly after our move when I began putting the studio together. Later additions included a dedicated M2 MacBook Pro, Pioneer CDJ3k & DJS1k, IK Multimedia ARC Studio Room Correction System, KRK S8 Subwoofer, Custom Marble Sub Platform on top of ISO Acoustics Sub Platform, (2) Panamax M4315PRO Power Conditioner’s with BluBolt, OneAC CB115, Custom Grounding Cabling with Distribution Blocks & Cabling, and an ISO-Acoustics Subwoofer Platform Base among other APRIL 16 / WRIT AFTERMATH Critical equipment removed; on...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 28
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...he 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 and replacement unobstructed access, no disputes. HSA/FSA amounts; she also 2025/2026 was ordered not to obstruct reimbursement/funding cure, healthcare access. ongoing obstruction. C11 12/18/2024 and Healthcare / COBRA HSA administrator confirmed Shows use of 1/20/2025 discussion was conditioned a...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 29
EXHIBIT_START
Exhibit Map - Recusal Supplement.pdf
DF-24-18010NO.__________________________________________ THE MARRIAGE OF § § & § PHOTO EXHIBIT M MEDICAL HARM APRIL 2026 — MEDICAL HARM / TRANSACTION- 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. Th...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 41
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...knowledge and are true and correct. 2. On May 30th, 2025, I separated the personal property located within the parties’ Public Storage facility in accordance with prior written communications and discussions between myself and Petitioner. All items identified as belonging to Petitioner were placed into one designated storage unit, and all items belonging to me were placed into a separate storage unit. 3. This separation involved only those items already located within the Public Storage facility at that time. No personal property from the marital reside...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 42
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
6. I have not tampered with, removed, altered, or accessed any items within either storage 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...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 47
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...rney's office at least thirty (30) days before the expiration of this agreement. Employment Maintain full time work, school or combination of the / School two, providing written proof within 30 days of the expiration of this agreement. Prohibitions Commit no further law violations during the period of this agreement. Consume no alcohol beverages or controlled substances. No entry into bars or taverns. Not to possess drug paraphernalia. Defendant will not drive any motor vehicle unless or until her license has been reinstated. Other Defendant will, on or...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 48
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...an appropriate counseling or treatment center and willingly cooperate in any recommended counseling or treatment. The defendant must ensure that the counselor sends the written results of said assessment to the District Attorney's Office on or before January 1, 2014. If counseling is recommended, the defendant must ensure that the counselor sends written documentation of the defendant's attendance and compliance with any recommendation to the District Attorney's Office by September 1, 2014. Fine Pay a fine/forfeiture of $500.00, plus all costs of the ac...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 54
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...edetective WesnerWesner #2471.#2471. II advisedadvised detectivedetective WesnerWesner ofof thethe previousprevious reports,reports, andand II waswas advisedadvised toto writewrite thethe listedlisted offense.offense. II tooktook thethe listedlisted propertyproperty downdown toto 401401 S.S. FrioFrio forfor evidence.evidence. ShortlyShortly after,after, V1V1 calledcalled policepolice againagain andand statedstated sheshe foundfound anotheranother tracker.tracker. OfficerOfficer BenavidesBenavides #1191#1191 mademade contactcontact withwith V1V1 andand dis...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 93
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...verification& purposes. Notice of Landlord's(# $(1 Right%+ to Continue' to Show+ *the+Property:$ " $ &0Unless/ ++Landlord" / ( and Applicant))/ enter(into a separate+ ) ( written3( agreement5( otherwise,. (3 + $ the. Property( ) ( * remains( + on the. market(6 until1 / a lease/ + is+ signed+ 5 by4* all// parties) ( + and Landlord" / ( may* Describe' + ( 4 other. ( income Applicant))/ wants3 + considered:+ ( , GuarantorGuarantor -- GwendolynGwendolyn Ulijasz.Ulijasz. HospitechHospitech Solutions,Solutions, LLCLLC isis aa startupstartup continue1 to show+....
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 95
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...mployment verification& Notice of Landlord's(# $(1 Right%+ to Continue' to Show+ *the+Property:$ " $ &0Unless/ ++Landlord" / ( and Applicant))/ enter(into a separate+ ) ( written3( agreement5( otherwise,. (3 + $ the. Property( ) ( * remains( + on the. market(6 until1 / a lease/ + is+ signed+ 5 by4* all// parties) ( + and Landlord" / ( may* Describe' + ( 4 other. ( income Applicant))/ wants3 + considered:+ ( , TotalTotalCompensationCompensation isis $488k+$488k+ perper year.year. There'sThere’s anan additionaladditional $50k$50k perper continue1 to show+....
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 97
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...d GWENDOLYN ULIJASZ-MCKEMIE (the “Tenant” and sometimes “Gwen”; together with the Landlord, the “Parties”) entered into a certain Residential Lease (the “Lease”) for the property located at 5609 La Foy Blvd, Dallas, Texas 75209 (the “Premises”), the Lease having also JASON MCKEMIE as co-tenant (“Jason”); and JPC26-06838-51 (the “Lawsuit”); and WHEREAS, Landlord and Tenant desire to nonsuit the Lawsuit as to then Tenant only. NOW, THEREFORE, the Parties agree as follows: 1. Mutual Release: For the consideration stated below and other good and valuable con...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 98
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...to access the Premises and recover her property but the property is not fully removed within the seven (7) day timeline. The Parties may agree to modify this timeline in writing. Page 2 of 3
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 99
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
b. Gwen releases Landlord from any and all claims related to her property, including but not limited to, claims of damaged or broken items, claims of lost or missing items, or claims of conversion or theft. The Parties agree that Landlord is not a bailee, this it not a bailiff/bailee relationship, and Landlord has no obligation to safeguard or otherwise account for Gwen’s property, given the contested nature of possession of the Premises and the ongoing Lawsuit with Jason. 6. Confidentiality. The Parties agree that the terms of this Agreement are confide...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 102
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...USANN QUISPE § RODRIGUEZ § Plaintiff, § § § v. § PRECINCT 5, PLACE 1 § JASON MCKEMIE § AND ALL OTHER OCCUPANTS OF § 5609 LA FOY BLVD § DALLAS, TX 75209 § APPLICATION FOR WRIT OF POSSESSION COMES NOW, Skweres Properties LLC, as agent for Skweres Travis & Jacqueline Susann Quispe Rodriguez, Applicant/ Plaintiff, who requests the Court issue a Writ of Possession in the above- referenced cause of action. FACTS 1. Applicant brought a forcible detainer suit against the Defendant before this Honorable Court. 2. The Court awarded a judgment for possession to the...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 103
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
8. Plaintiff coordinated a schedule with the Dallas Constable’s Office, Precinct 5, but the deputies of the office communicated that the Writ of Possession will expire on April 29, 2026. PRAYER 9. For these reasons, Applicant requests the Court to issue a Writ of Possession against the Defendants immediately. Respectfully submitted, __/s/ L. Marc Girling__________ Girling Law, PLLC L. Marc Girling SBN 24074283 mmedina@girlinglaw.com marc.girling@gmail.com 6833 Coit Rd., Ste. 107 Plano, TX 75024 (972) 662-8870(o) ATTORNEY FOR PLAINTIFF
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 106
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...1st hearing, reinforced pursuant to § 362 of the Bankruptcy Code temporarily through April 30, 2026. Any action to enforce a writ of execution in connection with ongoing eviction procedures on the property located at 5609 La Foy Blvd., Dallas, TX 75209 shall cease immediately. Moreover, no other party shall remove any of the possessions from the premises. Accordingly, it is ORDERED that the Emergency Motion is GRANTED IN PART solely to the extent that the automatic stay is reinstated as to the property located at 5609 La Foy Blvd., Dallas, TX, 75209 (and...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 108
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...PLETE 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). OPTION A — EMPLOYER REINSTATEMENT A. Petitioner shall reinstate Respondent's dependent healthcare coverage through Petitioner's employer-sponsored plan and provide written proof that coverage is active, including the information necessary to fill prescriptions (member ID/policy number and pharmacy benefit information). B. Petitioner shall...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 109
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...posit 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. II. NO WAIVER A. Any COBRA election by Respondent is solely to preserve medical access and s...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 134
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...like, less than $500 in there for like months, you know, so. Yeah. Yeah. [00:20:35] Gwen McKemie: Okay. So. [00:20:36] Jason McKemie: But [00:20:38] Gwen McKemie: Let me write this down. [00:20:39] Gwen McKemie: Just a little cloudy right now. [00:20:41] Gwen McKemie: So [00:20:43] Gwen McKemie: So how about this, don't put the cash... [00:20:49] Jason McKemie: I mean, I could put some of this cash back in you know, I've got. [00:20:53] Gwen McKemie: Jason, don't do that. Don't do that, [00:20:56] Gwen McKemie: Just leave it. Leave it. Just And then I'm...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 138
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
• 07/11/2025 (Entry 83) — 66 pages — REQUEST FOR EMERGENCY HEARING TO PREVENT EVICTION DURING MEDICAL HARDSHIP WITH DECLARATION AND WITNESS STATEMENTS REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS • 07/24/2025 (Entry 99) — 5 pages — DECLARATION OF RESPONDENT'S DISASSOCIATION FROM BINDER INTRODUCED BY PETITIONER'S COUNSEL • 07/24/2025 (Entry 96) — 3 pages — ERRONEOUS PUBLIC FILING AND EMERGENCY MOTION TO SEAL PREVIOUSLY SUBMITTED DECLARATION • 11/25/2025 (Entry 134) — 6 pages — NOTICE OF FILING OF SWORN AF...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 139
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...YMENT DUE TO MEDICAL HARDSHIP – DECLARATION OF CHRISTINA SEGURA IN SUPPORT OF JASON MCKEMIE • 07/11/2025 (Entry 83) — 66 pages — REQUEST FOR EMERGENCY HEARING TO PREVENT EVICTION DURING MEDICAL HARDSHIP WITH DECLARATION AND WITNESS STATEMENTS REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS • 07/16/2025 (Entry 84) — 4 pages — ORDER GRANTING M/SANCTION AND REFERRAL PROPOSED MOTION SANCTION FOR AGGRAVATED PERJURY AND FRAUD UPON THE COURT RESPONDENT’S WARNINGS TO THE COURT, AND REQUESTS FOR RELIEF/STABILIZATION...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 141
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...N IN SUPPORT OF MOTION TO COMPEL 2026 • 01/12/2026 (Entry 164) — 6 pages — EMERGENCY MOTION ON MEDICAL HARM • 01/12/2026 (Entry 175) — 7 pages — EMERGENCY MOTION TO STAY EVICTION PROCEEDINGS • 01/12/2026 (Entry 173) — 10 pages — EMERGENCY MOTION TO TEMORARY STAY OR IN THE ALTERNATIVE, IMPOSE PROTECTIVE CONDITIONS ON COURT-AUTHORIZED PROPERTY RETRIEVAL DUE TO MEDICAL INCAPACITY • 01/12/2026 (Entry 180) — 11 pages — MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT • 01/15/2026 (Entry 182) — 4 pages — RESPONDENT'S MOTION TO ESTAB...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 143
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...YMENT DUE TO MEDICAL HARDSHIP – DECLARATION OF CHRISTINA SEGURA IN SUPPORT OF JASON MCKEMIE • 07/11/2025 (Entry 83) — 66 pages — REQUEST FOR EMERGENCY HEARING TO PREVENT EVICTION DURING MEDICAL HARDSHIP WITH DECLARATION AND WITNESS STATEMENTS REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS • 07/24/2025 (Entry 99) — 5 pages — DECLARATION OF RESPONDENT'S DISASSOCIATION FROM BINDER INTRODUCED BY PETITIONER'S COUNSEL • 08/06/2025 (Entry 104) — 7 pages — EMERGENCY MOTION TO ABATE TRIAL SETTING AND WITHHOLD FINAL...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 144
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...EDINGS AFFIDAVIT ON PUBLIC STORAGE THEFT ACCUSATIONS AND PETITIONERS ACQUISITION OF WEAPON DURING PROCEEDIN • 01/12/2026 (Entry 175) — 7 pages — EMERGENCY MOTION TO STAY EVICTION PROCEEDINGS • 01/12/2026 (Entry 174) — 3 pages — PROPOSED ORDER ON EMERGENCY MOTION TO STAY EVICTION PROCEEDINGS • 01/12/2026 (Entry 173) — 10 pages — EMERGENCY MOTION TO TEMORARY STAY OR IN THE ALTERNATIVE, IMPOSE PROTECTIVE CONDITIONS ON COURT-AUTHORIZED PROPERTY RETRIEVAL DUE TO MEDICAL INCAPACITY • 01/12/2026 (Entry 172) — 5 pages — PROPOSED ORDER ON EMERGENCY MOTION TO TEMP...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 145
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
• 01/12/2026 (Entry 168) — 3 pages — ORDER ON EMERGENCY MOTION TO STAY EVICTION PROCEEDINGS EXTEND RENT REGISTRY DEADLINE, AND PRESERVE PROPERTY PROPOSED ORDER ON EMERGENCY MOTION TO STAY EVICTION PROCEEDINGS • 01/12/2026 (Entry 166) — 4 pages — AFFIDAVIT ON MANUFACTURED ALLEGATIONS & CONCERN FOR PROPERTY RETRIEVAL / CLEAN OUT AFFIDAVIT - MANUFACTURED ALLEGATIONS • 01/12/2026 (Entry 164) — 6 pages — EMERGENCY MOTION ON MEDICAL HARM • 01/12/2026 (Entry 162) — 4 pages — ORDER ON EMERGENCY TRO PROPOSED ORDER/JUDGMENT • 01/12/2026 (Entry 180) — 11 pages — MO...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 150
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...AND CASE MANAGEMENT CLARIFICATION • 01/15/2026 (Entry 182) — 4 pages — RESPONDENT'S MOTION TO ESTABLISH CONDITIONS FOR RE-ENTRY OF COUNSEL AND TO PRESERVE FAIR TRIAL 8. EVICTION / HOUSING STABILITY 2025 • 06/24/2025 (Entry 66) — 8 pages — EMERGENCY MOTION FOR TEMPORARY FINANCIAL RELIEF DUE TO IMMINENT HOUSING LOSS, MEDICAL HARDSHIP EMERGENCY M/FINANCIL • 07/10/2025 (Entry 77) — 1 page — ORDER GRANTING EMERGENCY MOTION TO STAY EXECUTION OF WRIT OF POSSESSION PROPOSED ORDER/JUDGMENT • 07/11/2025 (Entry 83) — 66 pages — REQUEST FOR EMERGENCY HEARING TO PRE...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 151
EXHIBIT_START
Exhibit Map - Recusal Supplement.pdf
...ESTATE EXHIBIT DATE TIME EVENT ID. EVIDENCE / EXHIBITS Respondent left the residence to go to court after identifying defective service and attempting to stop 2:37PM the writ. Respondent closed the garage before leaving. https://tinyurl.com/RushedOut (2) Individual's contracted by Petitioner, drove backwards down the alleyway and backed into back driveway with hatch back the garage within 2min. As they backed in, the garage door was opened 2:39PM from the inside. The garage door opener code was changed recently, so someone inside the house https://tinyur...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 152
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...HAVE TO READ THIS TONIGHT!! BUT I DO SINCERELY ASK THAT YOU READ IT AT A TIME WHEN YOU FEEL OPEN TO HEARING SOME THINGS THAT I NEED TO COMMUNICATE TO YOU. THIS LETTER IS WRITTEN OUT OF LOVE. PLEASE TRY TO RECEIVE IT IN THAT WAY. I LOVE YOU. LET’S WATCH SILO WITH KATIE!!!!
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 153
EXHIBIT_START
Exhibit Map - Recusal Supplement.pdf
Gwen, I’m sure that receiving this letter might be upsetting and that you would prefer to not read nor process it, I sincerely ask you to do so. It is written with all the love I have to give. I understand that you have an attachment avoidant attachment style, and that those are developed in our youth, and they are carried throughout our lives. I am also aware that they’re techniques and tools they can be utilized to mitigate the impulses that are created by such an attachment style. Your attachment style existed when we met, when we fell in love, when w...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 157
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...ing, and my words will never be put together perfectly nor will my messages be relayed in the absolute best way that they could be; I do assure you that this is a letter written with the deepest level of love, compassion, understanding and patience. I love you and thank you for reading this. And know that I am not mad at you right now. I love you. And I’m here desiring so badly for a hug from you. Jason
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2026-06-16
Respondent / Jason
Motion - Miscellaneous
Page 1
PLEADING_START_FILE_MARKED
DF-24-18010 - Recusal Notice_Written Ruling_Objection to Decree Action.pdf
...Jason has not located any written order of recusal, written denial, written referral order, or docket available to him. Because decree signature would materially affect property division, debt allocation, healthcare access, benefits, enforcement, sanctions, fees, and appellate/mandamus rights, Jason requests that the Court clarify the Rule 18a status before any decree action. Texas Rule of Civil Procedure 18a. 1 of 5
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2026-06-16
Respondent / Jason
Motion - Miscellaneous
Page 2
EXHIBIT_START
DF-24-18010 - Recusal Notice_Written Ruling_Objection to Decree Action.pdf
...motion to the regional presiding judge. trial, the respondent judge must take no further action in the case until the motion is decided, except for good cause stated in writing or on the record. Jason recognizes that Petitioner and counsel may argue this is a tertiary recusal. Jason does not waive any objection to that characterization or to any fee/cost request arising from it. If the Court contends it may proceed based on tertiary-recusal law, Rule 18a, Texas Civil Practice and Remedies Code section 30.016, or any other authority, Jason requests that...
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2026-06-16
Respondent / Jason
Motion - Miscellaneous
Page 3
EXHIBIT_CONTINUATION
DF-24-18010 - Recusal Notice_Written Ruling_Objection to Decree Action.pdf
Jason objects to any rendition, signature, entry, transmission, enforcement, implementation, property transfer, debt allocation, healthcare/benefits effect, injunction, fee award, cost award, sanction, or final-decree effect before: 1. the pending verified recusal is decided; 2. the pending verified recusal is referred; 3. the Court states a written or on-record good-cause basis for proceeding despite the pending verified recusal; or 4. the Court identifies the legal basis for proceeding despite the pending verified recusal and Jason’s pending objections...
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2026-06-16
Respondent / Jason
Motion - Miscellaneous
Page 4
EXHIBIT_START
DF-24-18010 - Recusal Notice_Written Ruling_Objection to Decree Action.pdf
...any final decree until Rule 18a status is clarified; 4. if the Court contends it may proceed under tertiary-recusal law or any other authority, state the legal basis in writing or on the record before decree action; 5. preserve Jason’s recusal, mandamus, due-process, medical-incapacity, no-bridge, healthcare, stolen-evidence, source-record, trial-readiness, sanctions, fee/cost, and appellate objections; and 6. grant all further relief necessary to preserve the record and prevent decree action before Rule 18a status is clarified. Respectfully Submitted,...
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2026-06-16
Respondent / Jason
Motion - Miscellaneous
Page 5
CERTIFICATE_OF_SERVICE
DF-24-18010 - Recusal Notice_Written Ruling_Objection to Decree Action.pdf
...ailable to me, emails received by me, records reviewed by me, and documents in my possession or accessible to me. As of the filing of this notice, I have not located any written order of recusal, written denial, written referral order, or written/on-record good-cause basis for further decree action on Executed in Brazos County, Texas on June 16, 2026. Jason McKemie Jason McKemie 5 of 5
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2026-06-16
Respondent / Jason
Motion - Miscellaneous
Page 6
FILING_STAMP_OR_ESERVICE
DF-24-18010 - Recusal Notice_Written Ruling_Objection to Decree Action.pdf
...6200430 Filing Code Description: Motion - Miscellaneous Filing Description: RESPONDENT'S EMERGENCY RULE 18A STATUS NOTICE REGARDING PENDING VERIFIED RECUSAL, REQUEST FOR WRITTEN RULING OR REFERRAL , AND OBJECTION TO DECREE ACTION Status as of 6/16/2026 12:47 PM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Rebecca LArmstrong rebecca@armstronglawtexas.com 6/16/2026 12:06:47 PM SENT Terra Aguirre terra@armstronglawtexas.com 6/16/2026 12:06:47 PM SENT Lauren N.Shaw lauren@armstronglawtexas.com 6/16/2026 12:06:47 PM SENT Jason McKemie jmck...
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2026-06-16
Petitioner / Gwendolyn
Order
Page 1
PLEADING_START
2026-06-16 OUR Motion to Enter Final Decree Final.pdf
...Civil Practice and Remedies Code § 30.016, which expressly authorizes the Court to continue to preside and move the case to final disposition. Respondent’s petition for writ of mandamus has not resulted in any stay. Entry of the decree is proper. II. BACKGROUND 3. This matter has been pending since December 16, 2024. 5. The Court set this case for final trial on June 11, 2026, at 1:30 p.m. 6. Petitioner and her counsel appeared and announced ready for trial. Respondent did not appear. Instead, between 1:17 p.m. and 1:46 p.m. on the day of trial, Respond...
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2026-06-16
Petitioner / Gwendolyn
Order
Page 2
PLEADING_BODY
2026-06-16 OUR Motion to Enter Final Decree Final.pdf
8. At 4:28 p.m. on June 11, 2026, Petitioner sent a proposed Final Decree of Divorce to Respondent and the Court for the Court’s signature. the proposed decree (June 12, 2026) and recusal “supplements” (June 15 and June 16, (No. 05-26-00854-CV) on June 12, 2026. On June 15, 2026, the Court of Appeals returned and rejected five of the ten documents Respondent submitted in connection with that filing. No court has stayed these proceedings. III. ARGUMENT AND AUTHORITIES A. Respondent’s pending motion to recuse is a tertiary recusal motion, and Texas Civil P...
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2026-06-16
Petitioner / Gwendolyn
Order
Page 3
PLEADING_BODY
2026-06-16 OUR Motion to Enter Final Decree Final.pdf
...ave known of any asserted ground before that date. C. No stay is in effect; the mandamus filing does not divest this Court of authority. 15. The filing of a petition for writ of mandamus does not stay trial-court proceedings absent an order granting temporary relief. See TEX. R. APP. P. 52.10. No such order has issued. Undersigned counsel has confirmed the absence of any temporary-relief or stay order on the docket of the Fifth Court of Appeals in No. 05-26-00854-CV as of June 16, 2026.. D. The case has been tried and is ripe for entry of judgment. 16. T...
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2026-06-16
Petitioner / Gwendolyn
Order
Page 8
PLEADING_BODY
2026-06-16 OUR Motion to Enter Final Decree Final.pdf
W-2. All Accenture Restricted Stock Units (RSUs), vested and unvested, granted to or held in the name of Wife, including the unvested shares, together with all rights to vesting, dividends, and proceeds thereof. W-3. The Chase Checking account ending in x9259 together with all funds on deposit therein. W-4. The Accenture HSA account, together with all funds on deposit therein. W-5. The BMW automobile, together with all keys, title documents, and equipment, subject to the indebtedness thereon as allocated below. W-6. All clothing, jewelry, electronics, ho...
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2026-06-16
Petitioner / Gwendolyn
Order
Page 9
PROPOSED_ORDER_OR_ORDER
2026-06-16 OUR Motion to Enter Final Decree Final.pdf
W-9. Any and all other community assets in Wife's name, possession, or control not otherwise awarded herein. B. Community Property Awarded to Husband IT IS ORDERED AND DECREED that Husband, JASON EMORY McKEMIE, is awarded the following as his sole and separate property, and Wife is divested of all right, title, interest, and claim in and to that property: H-1. Any and all bank, retirement, or investment accounts in his own name. H-2. The 2018 Jaguar F-Pace automobile, together with all keys, title documents, and equipment, subject to any indebtedness the...
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2026-06-16
Petitioner / Gwendolyn
Order
Page 12
PROPOSED_ORDER_OR_ORDER
2026-06-16 OUR Motion to Enter Final Decree Final.pdf
...in. IT IS FURTHER ORDERED AND DECREED that each party shall surrender and turn over to the other party, within thirty (30) days after the date this Decree is signed, all property awarded to the other party under this Decree that is in his or her possession or subject to his or her control, together with all keys, titles, statements, and documents of ownership. If a party fails to comply within the time specified, the Court may, on motion, on that party's behalf, and such execution shall be valid as if executed by the party. 12. Discharge from Duty to Pre...
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2026-06-15
Respondent / Jason
Motion - Recuse
Page 1
PLEADING_START_FILE_MARKED
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
6/15/2026 9:53 AM IN THE MATTER OF THE MARRIAGE OF GWENDOLYN ULIJASZ-MCKEMIE AND FOR MANDATORY WRITTEN RULING BEFORE RENDITION, SIGNATURE, ENTRY, OR ENFORCEMENT OF ANY FINAL DECREE; AND NOTICE OF ADDITIONAL SOURCE EVIDENCE Notice for the Court: Because the Court is expected to determine whether to sign Petitioner's proposed decree today, Respondent is filing this Supplement immediately rather than delaying submission while exhibits are finalized. Additional supporting exhibits, affidavits, police records, timelines, and documentary evidence referenced he...
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2026-06-15
Respondent / Jason
Motion - Recuse
Page 2
PLEADING_BODY
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
...very noncompliance, and the absence of any fair pathway to trial; and ¢ Recusal No. 3 addresses entirely new and trial-dispositive developments, including a manufactured eviction, the use of non-service and procedural pressure to force Respondent into emergency courthouse appearances, the theft and destruction of itigation materials and survival property, including hard drives, evidence repositories, legal work product, medications, financial records, medical records, and trial materials, continued healthcare obstruction, continued source-record concealm...
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2026-06-15
Respondent / Jason
Motion - Recuse
Page 3
PLEADING_BODY
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
...urce verification before any decree is signed or enforced, including healthcare/HSA/FSA/OLE/COBRA records, Accenture benefit/payroll records, SAPD/Dallas police records, writ/constable/bodycam/dashcam records, lease buyout records, financial institution records, contractor/vendor billing, and stolen-property chain-of-custody evidence. Il. THIS CASE BEGAN WITH A WARNING, NOT A DIVORCE DISPUTE On December 10, 2024, Jason underwent invasive spinal surgery. On December11,2024, while recovering from surgery, Jason discovered substantial documentation showing...
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2026-06-15
Respondent / Jason
Motion - Recuse
Page 4
PLEADING_BODY
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
...al guarantor on the Dallas lease. She denied responsibility, then she and counsel admitted a payoff/release arrangement with the landlord. Jason was then pursued through eviction machinery over rent and housing obligations distorted by that secret buyout and release which was concealed for over 6 months before testimony forced it into the open The Court should not sign a decree that treats manufactured collapse as ordinary nonpayment, trial waiver, or bad uck. V. THE MARRIAGE TIMELINE PRESENTED BY PETITIONER IS FRAUDULENT Petitioner's proposed marital ti...
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2026-06-15
Respondent / Jason
Motion - Recuse
Page 7
EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
...fty-two pounds from fluid retention after being forced off GLP-1 medication without warning when healthcare access was obstructed. He was hospitalized immediately before writ events and released himself Against Medical Advice to try to preserve property, medication, records, and evidence. Petitioner repeatedly tied Jason's survival to healthcare access. On the December 12 call, she promised she would never leave him with nothing to live on and discussed healthcare in terms tied to whether Jason would die without it. She later obstructed healthcare, HSA/F...
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2026-06-15
Respondent / Jason
Motion - Recuse
Page 8
EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
...e report as itigation leverage. That pattern is not protection-seeking. It is weaponized law enforcement built from stolen property. XII. THE WRITS WERE BAIT, NOT NORMAL EVICTIONS Jason would never voluntarily leave the residence during execution Oan eviction/writ if doing so meant abandoning evidence, medication, clothing, passport, trial binders, hard drives, tools, records, computers, and survival property. The only reason Jason left was the improper-service bait that required him to go to the courthouse to seek emergency relief. Jason repeatedly said...
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2026-06-15
Respondent / Jason
Motion - Recuse
Page 9
EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
...rces at rates Jason could not access to save his own property. This was not ordinary moving. It was a hostile takeover of the residence under the cover of a manufactured writ. Xlill. STOLEN PROPERTY, COMPUTER HARDWARE, AND ASSET DESTRUCTION There is no meaningful division of assets in the proposed decree if Petitioner can first steal, destroy, remove, or control Jason's property and then claim that everything in the house was hers or subject to her narrative. Jason's monitors, televisions, computers, hardware, home-studio equipment, tools, hard drives, t...
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2026-06-15
Respondent / Jason
Motion - Recuse
Page 13
EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
...len paper records, stolen work product, stolen or destroyed computers, stolen tools, stolen client hardware, stolen passport/medication-related items, and destruction of property. 8. The Court has been notified that Petitioner's proposed marital timeline is contradicted by sealed in-camera exhibits, joint accounts, joint investments, domestic-partnership documents, reciprocal powers of attorney, beneficiary records, character/relationship witnesses, and a signed Declaration and Registration of Informal Marriage dated September 22, 2023. 9. The Court has...
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2026-06-15
Respondent / Jason
Motion - Recuse
Page 14
EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
...third-partysourceverification of healthcare, HSA/FSA, OLE, COBRA, plan elections, and functional benefits access; 18.ordersource-recordfinancialverification before final property division; 19.orderpreservation,sequestrationawayfromPetitionerandheragents,categorical non-use, categorical non-access, and categorical non-benefit as to all stolen evidence, stolen hard drives, stolen records, stolen Apple devices, stolen computers, stolen trial binders, and stolen property; 20. deny in full Petitioner's request for fees, expenses, sanctions, costs, protective...
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2026-06-15
Respondent / Jason
Motion - Recuse
Page 15
EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
...access impaired unsworn declaration through protective-order/body- attachment pressure. Writ bait/manufactured Lease/guarantor records; Shows Petitioner used lease/writ eviction buyout/release materials; machinery to force Jason out and writ/bodycam requests enable theft/destruction. XXIV. VERIFICATION My name is Jason McKemie. | am over 18 years of age, competent to make this declaration, and the facts stated in this Supplement are true and correct based on my personal knowledge, my review of records, filings, police reports, recordings, transcripts, c...
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2026-06-12
Respondent / Jason
Objections - Misc
Page 3
EXHIBIT_START
RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS_55158B69.pdf
...rt Administrator, Court Coordinator, and Court immediately bring these filings to the Court's attention before any decree, judgment, order, enforcement action, turnover, property transfer, debt allocation, injunction, fee award, sanction, or final-order effect is signed, entered, enforced, or implemented. Il. REQUEST FOR RECUSAL DELIVERY, REFERRAL, AND RULE 18a COMPLIANCE Respondent's Verified Motion to Recuse was submitted before any evidence was offered by Respondent, before any witness was called by Respondent, before any exhibit was offered by Respon...
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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
...ests, civil-claim preservation, attorney- misconduct issues, criminal-referral issues, or any other pending threshold matter without identifying those matters and making written rulings. Respondent requests that the Court decline to sign Petitioner's proposed decree, withhold entry, set aside any oral rendition made in Respondent's absence, reopen evidence, stay enforcement, and make written rulings on Respondent's pending recusal, emergency medical, no-bridge, healthcare, stolen-evidence, source-record, de novo, Rule 204, sanctions, financial-relief, an...
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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
...epartment records show that Petitioner is not merely making false reports. Petitioner is manufacturing the source material for false reports. Petitioner manufactured the eviction/writ aftermath, unlawfully entered the residence, stole property and device evidence, controlled or relocated that property, then used stolen or controlled items to manufacture new police narratives involving alleged mailed property, alleged abandoned property, tracker devices, alleged medical letters, alleged narcotics, HSA-call fraud, and other false criminal narratives. Respo...
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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
...inancial strangulation, healthcare obstruction, source-record concealment, evidence theft, hard-drive theft, legal-work-product theft, trial-material theft, manufactured eviction, false reporting, and procedural abuse. Vil. REQUEST TO WITHHOLD SIGNATURE, ENTRY, ENFORCEMENT, AND DECREE EFFECTS Respondent requests that the Court immediately: 1. withhold signature and entry of Petitioner's proposed Final Decree of Divorce; 2. decline to sign Petitioner's proposed decree; 3. set aside any oral rendition made in Respondent's medical absence; 4. reopen evidenc...
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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
...ns, expert expenses, vendor expenses, protective expenses, discovery expenses, or cost shifting against Respondent based on the collapse Petitioner manufactured; 20.enterwritten rulings sufficient to preserve mandamus and appellate review. Vill. NOTICE OF MANDAMUS AND REQUEST TO SUPPLEMENT EXHIBITS Respondent is filing emergency mandamus relief in the Fifth Court of Appeals seeking immediate temporary relief staying signing, entry, enforcement, implementation, property transfer, debt allocation, healthcare/benefits effects, injunctions, fees, costs, sanc...
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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
...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, screenshots, location records, and related proof as available. Respondent requests that emergency protection not be denied merely because exhibits are being supplemented on a rolling basis. Respondent is medically collapsed, financially collapsed, without working phone service, without gas,...
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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
...for emergency survival-level financial relief, interim attorney's fees, litigation expenses, access-to-counsel relief, fee shifting, sanctions, estate reconstitution, or written findings. No decree, judgment, order, oral rendition, prove-up, evidence ruling, exhibit admission, property division, debt allocation, injunction, fee award, cost award, sanction, enforcement provision, or global catchall denial should be construed to waive, release, merge, adjudicate, extinguish, deny, or limit those claims, requests, objections, and remedies. Respondent expres...
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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
...tolen medical records, stolen device evidence, and derivative materials; 11 .allow Respondent to supplement exhibits and supporting records as soon as available; 12.enterwritten rulings sufficient to preserve mandamus and appellate review; and 13.grantallfurtherrelieftowhichRespondentisentitled. Respectfully Submitted, Jon. Jason McKemie 539 W. Commerce St., Suite 2010 Dallas, Texas 75208 214-868-4901 jmckemie@mckemie.net Respondent, Pro Se 12 of 14 Copy from re:SearchTX
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