All topics
Financial Relief
#215
2026-04-06
Respondent / Jason
Notice Of Filing
Page 1
PLEADING_START_FILE_MARKED
NOTICE OF FORTHE COMING SUPPLEMENT FOR OBJECTIONS TO PRO HAC VICE_F8E947AC.pdf
...ue narrowing, and formatting necessary to present a focused and usable submission rather than an incomplete filing. 4. Movant is proceeding without counsel, under severe financial and medical strain, while also attempting to secure employment necessary for immediate stabilization. Movant is working to complete the supplement as quickly as possible and is making this notice promptly so the Court is informed before the earlier estimated time passes. 5 Movant is additionally returning to town from Bryan, Texas, where his family spent the weekend assisting h...
#215
2026-04-06
Respondent / Jason
Notice Of Filing
Page 2
PLEADING_BODY
NOTICE OF FORTHE COMING SUPPLEMENT FOR OBJECTIONS TO PRO HAC VICE_F8E947AC.pdf
Respectfully Submitted, [Son € Jason McKemie 539 W Commerce St., Ste 2010 Dallas, TX 75208 214-868-4901 jmckemie@mckemie.net NOTICE OF FORTHCOMING SUPPLEMENT TO OBJECTION TO PRO HAC VICE ADMISSION 20f 3 DF-24-18010 Copy from re:SearchTX
#215
2026-04-06
Respondent / Jason
Notice Of Filing
Page 3
CERTIFICATE_OF_SERVICE
NOTICE OF FORTHE COMING SUPPLEMENT FOR OBJECTIONS TO PRO HAC VICE_F8E947AC.pdf
gulijasz@gmail.com and gwendolyn.ulijasz@accenture.com [Son Jason McKemie NOTICE OF FORTHCOMING SUPPLEMENT TO OBJECTION TO PRO HAC VICE ADMISSION 3 of 3 DF-24-18010 Copy from re:SearchTX
#215
2026-04-06
Respondent / Jason
Notice Of Filing
Page 4
FILING_STAMP_OR_ESERVICE
NOTICE OF FORTHE COMING SUPPLEMENT FOR OBJECTIONS TO PRO HAC VICE_F8E947AC.pdf
on the date and to the persons listed below. The rules governing Envelope ID: 113256869 Filing Code Description: Notice Of Filing Filing Description: NOTICE OF SUPPLEMENTAL FILING TO BE SUBMITTED TODAY AND MOTION FOR LEAVE Status as of 4/6/2026 9:13 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Rebecca LArmstrong rebecca@armstronglawtexas.com 4/6/2026 8:34:55 AM SENT Terra Aguirre terra@armstronglawtexas.com 4/6/2026 8:34:55 AM SENT Lauren N.Shaw lauren@armstronglawtexas.com 4/6/2026 8:34:55 AM SENT Gwendolyn Ulijasz gulijasz@gmail....
#199
2026-02-20
Respondent / Jason
Notice Of Filing
Page 1
PLEADING_START_FILE_MARKED
EMERGENCY VERIFIED MOTION TO CONTINUE OR ABATE BENCH TRIAL_109EBB73.pdf
...ure while the estate is being evaluated and reconstructed under Trustee oversight, including review of asset movement and debt shifting that materially overlaps with the financial disclosures at issue in this divorce. Proceeding to a final property adjudication and bench trial while (i) discovery remains incomplete and unverifiable, and (ii) bankruptcy-related stabilization and record reconstruction are ongoing, magnifies prejudice and virtually guarantees immediate post-judgment emergency litigation. Copy from re:SearchTX
#199
2026-02-20
Respondent / Jason
Notice Of Filing
Page 2
PROPOSED_ORDER_OR_ORDER
EMERGENCY VERIFIED MOTION TO CONTINUE OR ABATE BENCH TRIAL_109EBB73.pdf
Relief requested: The Court must continue/abate the February 24 trial setting and enter trial- readiness orders before any final adjudication affecting the marital estate proceeds. Il. SECOND STOP BUTTON: TRIAL IS NOT READY BECAUSE DISCOVERY NONCOMPLIANCE WAS CONFIRMED INSIDE THE FINAL PRETRIAL WINDOW The procedural posture alone establishes the case is not trial-ready: January 6, 2026: Motion to Compel discovery and HSA-related requests heard. January 9, 2026: Court-ordered production deadline. January 20, 2026: Status hearing to assess compliance. Febr...
#199
2026-02-20
Respondent / Jason
Notice Of Filing
Page 3
PLEADING_BODY
EMERGENCY VERIFIED MOTION TO CONTINUE OR ABATE BENCH TRIAL_109EBB73.pdf
...udge heard Movant's Motion to Compel discovery and requests regarding HSA. The Associate Judge's written report reflects that: 1. The Court granted Movant's request that financial documents be turned over by January 9, 2026; and 2. The HSA card was noted as provided at the time of the hearing. Movant does not seek de novo review of that ruling. Movant does not ask the Court to overturn, rehear, or modify it. Movant does not contend the Associate Judge erred. B. The issue now is compliance and enforceability This Motion seeks enforcement and clarification...
#199
2026-02-20
Respondent / Jason
Notice Of Filing
Page 4
PLEADING_BODY
EMERGENCY VERIFIED MOTION TO CONTINUE OR ABATE BENCH TRIAL_109EBB73.pdf
...as "tax withholding" and other categorization tactics that materially distort income and estate valuation. Relief requested: Written findings that party-only "certified financials" are not reliable for trial; authorization for limited third-party subpoenas for institution-origin records and continuity mapping; and an enforcement/sanctions setting addressing noncompliance and material falsity. - verify via This is how you "call it by name" while staying bulletproof: objective indicators custodians - enforce. V. CONTINUED MEDICAL HARM AND NONCOMPLIANCE WI...
#199
2026-02-20
Respondent / Jason
Notice Of Filing
Page 5
PROPOSED_ORDER_OR_ORDER
EMERGENCY VERIFIED MOTION TO CONTINUE OR ABATE BENCH TRIAL_109EBB73.pdf
...ame summary reflects HSA/FSA enrollment categories, but the continuing dispute concerns functional access and restoration/funding as ordered, not mere enrollment labels. Relief requested: An immediate enforcement hearing and a cure-steps order that requires verification by plan administrator/benefits vendors (not voluntary compliance alone) and includes replacement/escrow mechanisms sufficient to prevent continued harm. VI. TRANSCRIPT / RECORD DEFECT JANUARY 7 TRANSCRIPT IS NECESSARY FOR TRIAL PREP AND REVIEWABILITY Movant has repeatedly moved for the ce...
#199
2026-02-20
Respondent / Jason
Notice Of Filing
Page 6
DECLARATION
EMERGENCY VERIFIED MOTION TO CONTINUE OR ABATE BENCH TRIAL_109EBB73.pdf
VIII. PRAYER For the foregoing reasons, Movant respectfully requests that the Court grant the Relief Requested, continue or abate the February 24, 2026 bench trial setting, enter written trial-readiness orders, and grant all other relief to which Movant is justly entitled. VERIFIED UNSWORN DECLARATION (TEX. CIV. PRAC. & REM. CODE § 132.001) My name is Jason McKemie. My date of birth is April 8,. 1 1976. My address is 539 W. Commerce St., Suite 2010, Dallas, Texas 75208. | declare under penalty of perjury that the factual statements in this Motion are tru...
#199
2026-02-20
Respondent / Jason
Notice Of Filing
Page 7
CERTIFICATE_OF_SERVICE
EMERGENCY VERIFIED MOTION TO CONTINUE OR ABATE BENCH TRIAL_109EBB73.pdf
record and/or parties entitled to notice in accordance with the Texas Rules of Civil Procedure and : Jas6o-McKemie Copy from re:SearchTX
#199
2026-02-20
Respondent / Jason
Notice Of Filing
Page 8
FILING_STAMP_OR_ESERVICE
EMERGENCY VERIFIED MOTION TO CONTINUE OR ABATE BENCH TRIAL_109EBB73.pdf
on the date and to the persons listed below. The rules governing Envelope ID: 111545338 Filing Code Description: Notice Of Filing Filing Description: EMERGENCY VERIFIED MOTION TO CONTINUE OR ABATE BENCH TRIAL Status as of 2/23/2026 2:22 PM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Jason McKemie jmckemie@mckemie.net 2/20/2026 4:59:43 PM SENT Gwendolyn Ulijasz McKemie GUlijasz@gmail.com 2/20/2026 4:59:43 PM SENT Copy from re:SearchTX
#196
2026-02-18
Respondent / Jason
Notice Of Bankruptcy
Page 1
PLEADING_START_FILE_MARKED
RESPONDENT'S NOTICE OF BANKRUPTCY AUTOMATIC STAY_AA28F712.pdf
...endant further provides notice that the Section 341 Meeting of Creditors was conducted on February 17, 2026, and the assigned Chapter 7 Trustee is actively reviewing the financial history of the estate, including (i) significant shifts in debt allocation between the parties, (ii) the discontinuation of longstanding automated payoff practices, (iii) the rapid escalation of revolving credit balances within a compressed time period, and (iv) corresponding asset movements occurring in the months immediately preceding the parties' separation. WHEREFORE, Defen...
#196
2026-02-18
Respondent / Jason
Notice Of Bankruptcy
Page 2
PLEADING_BODY
RESPONDENT'S NOTICE OF BANKRUPTCY AUTOMATIC STAY_AA28F712.pdf
...y Judge IN THE UNITED STATES BANKRUPTCY COURT FOR THE NORTHERN DISTRICT OF TEXAS DALLAS DIVISION IN RE: § § CASE NO. 26-30161-MVL JASON EMORY MCKEMIE, § (Chapter 7) § Debtor. § Related to Dkt. No. 27 § ORDER GRANTING MOTION TO VACATE DISMISSAL ORDER AND REINSTATE BANKRUPTCY CASE The Court has considered the Motion to Vacate Dismissal and Reinstate Case (the "Motion unopposed. Therefore, the Court finds that the Motion to Vacate should be GRANTED and the case reinstated effective as of the date of the entry of this Order on the Court's docket. # # # END O...
#196
2026-02-18
Respondent / Jason
Notice Of Bankruptcy
Page 3
FILING_STAMP_OR_ESERVICE
RESPONDENT'S NOTICE OF BANKRUPTCY AUTOMATIC STAY_AA28F712.pdf
on the date and to the persons listed below. The rules governing Envelope ID: 111412461 Filing Code Description: Notice Of Bankruptcy Filing Description: RESPONDENT'S NOTICE OF BANKRUPTCY AUTOMATIC STAY Status as of 2/19/2026 10:23 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Jason McKemie jmckemie@mckemie.net 2/18/2026 2:32:25 PM SENT Gwendolyn Ulijasz gulijasz@gmail.com 2/18/2026 2:32:25 PM SENT Copy from re:SearchTX
#188
2026-02-02
Respondent / Jason
Motion - Miscellaneous
Page 1
PLEADING_START_FILE_MARKED
MOTION TO COMPEL COMPLETE FINANCIALS_C133CDAF.pdf
...RECORD, AND AUTHORIZE THIRD-PARTY SUBPOENAS FOR ADMINISTRATIVE RECORDS QLE/HEALTHCARE TO THE HONORABLE JUDGE OF SAID COURT: Movant, Jason McKemie, appears pro se due to financial deprivation and medical incapacity, and files this Emergency Motion to prevent irreparable harm and preserve due process. This Motion is I. EMERGENCY NATURE AND RELIEF REQUESTED This Court is currently being asked to proceed toward hearing/trial deadlines while (1) Movant remains medically unstable, (2) the Court's December 17, 2025 24-hour healthcare/HSA restoration order rema...
#188
2026-02-02
Respondent / Jason
Motion - Miscellaneous
Page 2
PROPOSED_ORDER_OR_ORDER
MOTION TO COMPEL COMPLETE FINANCIALS_C133CDAF.pdf
...e + Last-Minute Document Dumps Make Trial Preparation Impossible Petitioner has represented discovery compliance while producing late, high-volume dumps that do not cure financial records. The production remains structurally deficient and missing EMERGENCY MOTION TO ABATE ALL PROCEEDINGS, PRESERVE LIFE-SAFETY, COMPEL A WRITTEN RECORD, AND AUTHORIZE THIRD-PARTY SUBPOENAS FOR QLE/HEALTHCARE ADMINISTRATIVE RECORDS 2 of Copy from re:SearchTX
#188
2026-02-02
Respondent / Jason
Motion - Miscellaneous
Page 3
PLEADING_BODY
MOTION TO COMPEL COMPLETE FINANCIALS_C133CDAF.pdf
...Bankruptcy Trustee Review Overlaps with the Marital Estate shifting, alleged fraudulent reporting of legal/medical charges, and related issues that overlap directly with relief sought in this case. Proceeding in state court without allowing the trustee process to stabilize will cause inconsistent rulings and irreparable prejudice. lil. ARGUMENT A. Abatement is Required to Prevent Irreparable Harm and Preserve Due Process This Court should not force trial/hearing proceedings to continue where doing so creates foreseeable life-safety risk, denies meaningfu...
#188
2026-02-02
Respondent / Jason
Motion - Miscellaneous
Page 4
PLEADING_BODY
MOTION TO COMPEL COMPLETE FINANCIALS_C133CDAF.pdf
...t, or other mechanism the Court deems appropriate. 4. STATUS HEARING: Set a status conference within a short timeframe to confirm compliance and production schedules. 5. FINANCIAL SUBPOENAS (BANKS/INVESTMENT/COMP/BONUS/REIMBURSEMENTS): Authorize Movant to issue narrow, targeted third-party subpoenas for financial discovery necessary to complete the record and permit the case to proceed fairly, including but not limited to bank accounts, investment and equity accounts, bonus and compensation records, housing reimbursements, and related financial documents...
#188
2026-02-02
Respondent / Jason
Motion - Miscellaneous
Page 5
CERTIFICATE_OF_SERVICE
MOTION TO COMPEL COMPLETE FINANCIALS_C133CDAF.pdf
emie EMERGENCY MOTION TO ABATE ALL PROCEEDINGS, PRESERVE LIFE-SAFETY, COMPEL A WRITTEN RECORD, AND AUTHORIZE THIRD-PARTY SUBPOENAS FOR QLE/HEALTHCARE ADMINISTRATIVE RECORDS 5 of 5 Copy from re:SearchTX
#188
2026-02-02
Respondent / Jason
Motion - Miscellaneous
Page 6
FILING_STAMP_OR_ESERVICE
MOTION TO COMPEL COMPLETE FINANCIALS_C133CDAF.pdf
on the date and to the persons listed below. The rules governing Envelope ID: 110768058 Filing Code Description: Motion - Miscellaneous Filing Description: EMERGENCY MOTION TO ABATE PROCEEDINGS, PRESERVE LIFE-SAFETY, COMPEL A WRITTEN RECORD, & AUTHORIZE SUBPOENAS Status as of 2/4/2026 8:28 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Jason McKemie jmckemie@mckemie.net 2/2/2026 11:52:41 PM SENT Gwendolyn Ulijasz McKemie GUlijasz@gmail.com 2/2/2026 11:52:41 PM SENT Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 1
PLEADING_START_FILE_MARKED
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
...that discovery was complete, with the sole exception of two pages inadvertently omitted due to a mechanical error. Those two pages and a duplicate copy of the production inventory was delivered to the Respondent in the same communication. No additional discovery was outstanding or promised. The written confirmation from counsel responded directly to Respondent's asserted deficiencies, including those reflected in Petitioner's spreadsheet, and confirmed that discovery was complete. A true and correct copy of that correspondence is attached hereto as Exhib...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 2
PLEADING_BODY
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
and incorporates it by reference. Petitioner is not aware of any unmet court-ordered obligation regarding healthcare coverage or HSA access. IV. REQUEST FOR ACCESS TO PERSONAL AND SEPARATE PROPERTY Respondent again respectfully requests written authority to retrieve her personal belongings. This request is not for division of property or adjudication of ownership and does not depend on a divorce decree. Certain items Petitioner seeks to retrieve are clearly documented separate property, supported by bills of lading from her May 2023 move to Texas that pr...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 3
CERTIFICATE_OF_SERVICE
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
...ionally submitted another 25 motions in the second half of 2025, most of which have involved overlapping and duplicative issues. In the past three weeks alone leading up to final pretrial deadlines, four hearings have been set. Petitioner is not requesting abatement or delay of trial and is prepared to proceed as scheduled. Petitioner respectfully requests a brief extension of pretrial discovery and exhibit deadlines of 5 calendar days solely to ensure complete and accurate compliance. Vi. CASE MANAGEMENT CLARIFICATION Petitioner respectfully requests th...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 4
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Exhibit A: 2™confirmation from Petitioners attorney confirming discovery completion and Production Inventory produced Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 5
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
...gmail.com> Gmail Fwd: Discovery message Gwen Ulijasz <guliiasz@gmail.com> Sat, Jan 10, 2026 at 2:30 PM To: gulijasz@gmail.com Jason Below is a complete , organized excel inventory of all discovery materials previously produced in this matter. This was last provided on Oct 10 and many times prior. Two pages were missing from two different months on my Chase account. They are again attached. | confirmed that you had access to the drop box Cooke Law where copies of 101+ documents I've provided to you in discovery are housed. Let me know if you need the link...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 6
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
1/17/26, 1:40 PM Gmail - Fwd: Discovery (214) 520-7494 escroaains@sullivancock.com Thank you, Gwen Ulijasz Thank you, Gwen Ulijasz 3 attachments 2025-10-09 Exhibit A - Discovery Log.xIsx Dec 2024 Page 3.pdf 1139K Page 3.pdf = Nov1139K2024 https://mail.google.com/mail/u/0/7ik=546a93Ocb5&view=pt&search=all&permthid=thread-f: 8538906906 | 8699987%7Cmsp-f: 1853963 133834107797&simpl=msg-... 2/2 Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 7
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
EXHIBIT A GWEN'S PRODUCTION Description Start End Date Produced Responsive To RFP 2022-06-22 AdvantiGen Subscription Agreement.pdf GU600001 'GU000002 2/24/25 1A 2023-03-19 AdvantiGen Subscription Ag:reement pdf GU000003 GU000004 22425 TA 2024 AIG 401(k).pdf GU00000S Gu000010 2/24/25 IA 2024 AMEX Platinum x6008 Statements pdf Guoo00t GU000031 2/24/25 IA 2024 Chase Acct x3898 SStalernents pdf GU000032 GU000075 2/24/25 IA 2024 Chase Acct x6893 Statements pdf GU000076 GU000105 22425 IA 2024-07 throuyh 2025-01 Chase Saphire x2372.pdf GU000106 GU000126 2/24/25...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 8
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
My Holdings All RSUs and Stock w. vesting she s Final.pdf GU001338 GU001352 6/23/25 1,312 New CC Account PaidOffFinal.pdf GUG01353 GU001356 6/23/25 12 Payment to IRS for 2024 Taxes.pdf GU001357 GU001357 6/23/25 12 Pictures of Software and Jason.pdf GU001358 GU001595 6/23/25 12,13 Promisorry Note.pdf GU001596 GU001597 6/23/25 4,12 Statements pdf GU001598 GU001650 6/23/25 1, 10, 12, 15 Texts with Sisterpdf GU00I651 GU001656 6/23/25 5, 11, 12 Tracking Devices Final.pdf GU001657 GU001662 6/23/25 12 ULIJASZ LETTER - Procedure.pdf. GU001663 GU001663 62325 7,12...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 9
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
...LLAS TX 65.21 40/30 SQ *BEYOND THE DOOR AND M gosq.com TX 571.07 10/29 CVS/PHARMACY #07742 800-746-7287 TX 101.25 10/30 Prime Video Channels amzn.com/bill WA 14.06 10/28 TOM THUMB #29890 DALLAS TX 109.82 10/29 KROGER #0528 DALLAS TX 36.27 10/29 CVS/PHARMACY #07742 DALLAS TX 6.81 10/29 BRK PARKING DALLAS TX 5,00 10/29 APPLE.COMIBILL 866-712-7753 CA 64.94 10/29 & KASA YOGA DALLAS 972-7465991 TX 220.00 10/31 APPLE.COM/BILL 866-712-7753 CA 1.07 10/30 TARGET.COM WWW.TARGET.CO MN 14.06 10/30 APPLE.COMIBILL 800-275-2273 CA 3.24 10/29 TOM THUMB #2990 DALLAS TX 4...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 10
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
...LLAS TX 65.21 10/30 SQ "BEYOND THE DOOR AND M gosq.com TX 571.07 40/29 CVS/PHARMACY #07742 800-746-7287 TX 101.25 10/30 Prime Video Channels amzn.com/bill WA 14.06 10/28 TOM THUMB #2990 DALLAS TX 109.82 10/29 KROGER #0528 DALLAS TX 36.27 10/29 CVS/PHARMACY #07742 DALLAS TX 6.81 10/29 BRK PARKING DALLAS TX 5.00 10/29 APPLE.COM/BILL 866-712-7753 CA 64.94 10/29 & KASA YOGA DALLAS 972-7465991 TX 220.00 10/31 APPLE.COM/BILL 866-712-7753 CA 1.07 10/30 TARGET.COM WWW.TARGET.CO MN 14.06 10/30 APPLE.COMIBILL 800-275-2273 CA 3.24 10/29 TOM THUMB #2990 DALLAS TX 4....
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 11
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
...ROSEMONT IL 230.42 1/28 & USER 'EATS HELP.UBER.COM CA §2.89 1127 & SHELL OIL 57543425508 THE WOODLANDS TX 60.92 11/29 & KASA YOGA DALLAS 972-7465991 TX 220.00 11430 & AUTOMATIC CHEF, INC. WOODWAY TX 1.85 1128 & WESTIN HOUS MEM CITY HOUSTON TX 133.60 11/30 & AUTOMATIC CHEF, INC. WOODWAY TX 2.10 41/29 & CVSExtraCare 8007467287RI 800-746-7287 Ri 5.00 41/30 & Prime Video Channels amzn.conmvbill WA 14.06 1129 & APPLE.COM/BILL 866-712-7753 CA 16.23 1129 & IONOS Inc. 877-4612631 PA 77.10 12/01 & UBER °EATS HELP.UBER.COM CA 19.84 12/01 & UBER 'EATS HELP.UBER.CO...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 12
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Exhibit B: Sept 23, 2025: First confirmation from Petitioner's attorney regarding Discovery Completion Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 13
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
0442) A ail | 1417126, 944 AM Exhibit B: First Confirmation from Petitioner's Attorney Regarding Discovery Completion - [3] FW: Subject: Court-Ordered Financials Immediate Production Required... From @ Ethan Scroggins <esciogyins@sullivancock.com> vw ©3 Sep 23, 2025 To will Cook v a & Oo FYI ETHAN SCROGGINS Sullivan & Cook LLC Altforney 600 East Las Colinas Blvd, Suite 1300 Irving, TX 75039 (214) 520-7494 escroggins@sullivancook.com Mr. McKemie, The Court directed and made sure that production would be made in response to legitimate and reasonable reques...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 14
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
...jones@sullivancook.com>; Jeff Cook <icook@sullivancook.com>; Jason McKemie <imckemie@nicKemie.net>; Jason McKemie <mckemie76@qmail.com> - Subject: Subject: Court-Ordered Financials Immediate Production Required Importance: High Ethan, On September 8, the Court directed your client to provide full and complete financials, andCopy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 15
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Exhibit C: HSA compliance Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 16
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
...THE MATTER OF THE MARRIAGE OF GWENDOLYN ULIJASZ, Petitioner AND JASON McKEMIE, Respondent PETITIONER'S NOTICE OF COMPLIANCE WITH COURT ORDER Petitioner files this Notice to confirm compliance with the Court's order regarding reinstatement of health insurance coverage and delivery of the Health Savings Account (HSA) card. Petitioner confirms that health insurance coverage has been reinstated as directed by the Court. Petitioner was alerted of the issue by the court order and escalated to senior HR leadership for faster research and resolution. Reinstateme...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 17
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
No separate HSA portal is available for dependents to the best of Petitioner's knowledge. A portal and a password is not required to utilize the physical HSA card for qualified expenses, whether in person or online. To ensure proper documentation and avoid tax and penalties, Respondent may submit receipts for qualified medical expenses by email to Petitioner, consistent with the process previously used by the parties but in a timely manner. Petitioner requests the Court's awareness that this has been an issue in the past resulting in tax and penalities....
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 18
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Exhibit A1: and clarification from Accountability Petitioner's HR Re: (employer) Respondent's Insurance issue Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 19
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Ulijasz, Gwen From: Pott, Wynn E. Sent: Friday, December 19, 2025 1:35 PM To: Ulijasz, Gwen Subject: Benefits Coverage Hi Gwen. As we discussed, your husband (Jason McKemie) was mistakenly dropped from coverage due to a misunderstanding at our Benefits Center. It appears they thought your husband was no longer eligible for coverage, so contrary to your wishes, they terminated coverage. | have directed them to reinstate coverage, with no gap in care, and asked them to send urgent eligibility updates to our medical and pharmacy vendors. It may still take a...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 20
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Exhibit A: Proof Jason is on the HSA account Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 21
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
H story Bookmarks W ndow He p; n a an10 2:46PM TESS N mybenefits.inspirafinancial.com @ Oe A A w+© Apple Q Bing G Google Yahoo Login for Individuals | Inspira Financial Dependents Inspira Financial |s| Account Settings 03 Aetna Member Website [2 Logout @ Howe © insplraCud @ Help&Support & inspira Your Atcvms wv Alerts Aralth|Pisn Chaim 5, Forms + Health Account Saving (HSA) Dependents Account notifications This is the list of eligible dependents you think may use your Health Savings Account (HSA) funds. Health plan claims You can add, edit or remove your...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 22
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Exhibit B: New cards were needed and ordered for both parties (12/18/25) Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 23
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Ulijasz, Gwen From: Inspira <eNotify@inspirafinancial.com> Sent: Thursday, December 18, 2025 10:20 PM To: Ulijasz, Gwen Subject: [External] Inspira Financial Confirmation: Your debit card External email. Inspect before opening any links or attachments. Dear GWENDOLYN, This notice confirms we received your request for an Inspira debit card. e if you made this request, you don't need to do anything else. e If you didn't make this request, email us immediately at accountsecuritv@inspirafinancial.com. Sincerely, Inspira Financial Inspira Financial Health, In...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 24
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Exhibit C: Proof no or password anything further needed from Petitioner to use the account funds Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 25
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Safari File Edit View History Bookmarks Window Help ) ® Q & Jan 11 11:38AM $4 € > A A + mybenefits.inspirafinancial.com eC,Jr @ @ Apple Q Bing G Google Yahoo Login for Individuals Inspira Financial Frequently Asked Questions (FAQs) Inspira Financial A Member Website Account Settings B Aetna B Logout @ Home © InspiraCard @ Help&Support © FINANCIAL inspira Yoru Avert 7 your Card will De activated. After I activate my card, when can I start using it to pay for eligible expenses? You can use your card as soon as you activate it. But you'll need to have funds...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 26
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Exhibit D: Proof Jason has card use authorization Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 27
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 28
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
B® Jan10 2:51PM 8 © @ & Q View History Bookmarks Window Help ww t r Q mybenefits.inspirafinancial.com x @ Om A A & + < > Uy eeo M- é Apple Q Bing G Google Yahoo Login for Individuals Inspira Financial | | InspiraCard | Inspira Financial Account Settings Aetna Member Website CB Logout tf Home © InspiraCard @ Help&Support © -- inspira Alerts ve Account settings My Inspira Card™ My profile You can view the status of your Inspira Card. And you can order a card for your spouse or Bank accounts dependent. n O Account notifications Q Accentu re LLP ACN FSA Heal...
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 29
EXHIBIT_START
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
Exhibit E: Insurance Card and Jason has copies proof insurance (date stamp/name appears) Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 30
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
...1-800-932-7515 TELADOC.COM/ACCENTURE 1-855-835-2362 MENTAL/BEHAVIORAL HEALTH 1-800-424-4047 Life Insurance Aetna Company(MED) Dental Aetna nc. - Texas(DEN) Submit Claims To: PO BOX 981106 EL PASO TX 79998 1106 W.aetna.com See your plan documents for all plan requirements, including precertification. In an emergency, seek care immediately or call 911. This card does not guarantee coverage. Feedback https://healthaetna.com/id-cards 1/5 Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 31
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
...endolyn L Ulijasz Group #: 0657455-055-00004 Member Services: 1-800-525-4207 http://www.aetna.cony Note: This card does not guarantee coverage AETNA P.O. BOX 14094 LEXINGTON, KY 40512-4094 Payer ID# 60054 148 https://healthaetna.com/id-cards 2/5 Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 32
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
...1-800-932-7515 TELADOC.COM/ACCENTURE 1-855-835-2362 MENTAL/BEHAVIORAL HEALTH 1-800-424-4047 Insurance Life Aetna Company(MED) Dental Aetna Inc. - Texas(DEN Submit Claims To:PO BOX 98 106 EL PASO TX 79998 1106 See your plan documents for all plan requirements, including precertification. in an emergency, seek care immediately or call 911. This card does not guarantee coverage. https://healthaetna.com/id-cards 3/5 Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 33
EXHIBIT_CONTINUATION
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
...: Jason E Mckemie Group #: 0657455-055-00004 Member Services: 1-800-525-4207 http://www.aetna.cony Note: This card does not guarantee coverage AETNA P.O. BOX 14094 LEXINGTON, KY 40512-4094 Payer ID# 60054 148 https://healthaetna.com/id-cards AIS Copy from re:SearchTX
#184
2026-01-20
Respondent / Jason
Miscellaneous Event
Page 34
FILING_STAMP_OR_ESERVICE
NOTICE OF DISCOVERY COMPLIANCE_53B2EECC.pdf
on the date and to the persons listed below. The rules governing Envelope ID: 110194281 Filing Code Description: Miscellaneous Event Filing Description: RESPODENT'S NOTICE OF DISCOVERY AND HEALTHCARE COMPLIANCE, EQUEST FOR REMOTE APPEARANCE, REQUEST FOR ACESS TO PERSONAL PROPERTY, REQUEST FOR CONSOLIDATION & HEARING LIMITS AND CASE MANAGEMENT CLARIFICATION Status as of 1/22/2026 10:36 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Jason McKemie jmckemie@mckemie.net 1/19/2026 9:02:38 AM SENT Gwendolyn Ulijasz McKemie GUlijasz@gmail.co...
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 1
PLEADING_START_FILE_MARKED
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
...ourt's prior discovery orders, including the Motion to Compel, where compliance has failed and party-produced statements are structurally insufficient to reconstruct the financial record; and 3 Authorize and issue a narrow, emergency third-party subpoena to Accenture regarding the alleged Qualifying Life Event ("QLE"') submission that terminated Respondent's healthcare, as required to enforce the Court's healthcare reinstatement order. Absent immediate intervention, Respondent faces ongoing medical crisis, repeated emergency-room treatment, and the risk...
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 2
PLEADING_BODY
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
1. Medical Emergency o Respondent has documented congestive heart failure and is currently undergoing emergency-level medical treatment requiring uninterrupted access to prescribed medications. 2. Existing Healthcare Order o The Court previously ordered full reinstatement of healthcare, including functional access to HSA/FSA benefits. 3. Ongoing Noncompliance with Healthcare Order o Despite the Order, Respondent has experienced: » Nearly one year without HSA card access; « Presentation of a deactivated HSA card by Petitioner at the Motion to Compel heari...
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 3
PLEADING_BODY
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
...d and PIN access; « Portal/login access to benefits; « Issuance of a card in Respondent's name; « A lawful basis for healthcare termination. 7. Discovery Noncompliance o Financial discovery remains materially incomplete: « The Court-ordered production map was not produced; « Party production is fragmented across multiple accounts, cards, and payment cycles; « Produced materials contain internal inconsistencies and missing data; « Even full production of party-held statements would not permit accurate reconstruction of the marital financial record. 8. Nec...
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 4
PLEADING_BODY
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
...hreatening harm. C. Bankruptcy Preemption and Fair Trial Concerns The bankruptcy trustee's investigation necessarily overlaps with: ¢ asset tracing, e dissipation, e and financial reconstruction. Proceeding to trial before completion of trustee findings risks inconsistent rulings, prejudice, and inefficiency. D. Discovery Incompleteness No fair trial may proceed without a complete and accurate financial record. That record does not presently exist and cannot exist absent enforcement and third-party discovery. Requested Relief (Issue One): An Order abatin...
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 5
PLEADING_BODY
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
Petitioner was ordered to produce a production map and complete, traceable financial records. She has not done so. B. Structural Inadequacy of Party Production Petitioner's financial structure includes: e multiple cards per account, e multiple payments per cycle, e and transaction washing that obscures continuity. Accordingly: Even if Petitioner were to produce every statement in her possession, such production would still not comply with the Court's prior discovery order because the financial record has been rendered non- reconstructable without third-p...
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 6
PROPOSED_ORDER_OR_ORDER
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
...ssions affecting dependent coverage; e associated uploads, attestations, and audit logs; e eligibility determinations and communications with benefits vendors. Requested Relief (Issue Three): 1. Authorization and issuance of a subpoena duces tecum to Accenture HR / Plan Administrator; 2. Short compliance deadline; 3. Objections preserved for de novo review, but production not stayed. VI. PRESERVATION OF RIGHTS AND DE NOVO REVIEW Respondent expressly preserves all rights to seek: e sanctions, e expanded discovery, e fee shifting, e and additional relief u...
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 7
CERTIFICATE_OF_SERVICE
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
Jason McKemie Defendant, Pro Se 539 W. Commerce St., Ste. 2010 Dallas, Texas 75208 (214) 868-4901 jmckemie@mckemie.net record, and provided to the Court on January 12, 2026, by electronic filing & email. 06 JASON MCKEMIE ABATEMENT, ENFORCEMENT COMPEL DISCOVERY/REINSTATE HEALTHCARE/RESTORE STATUS QUO DF-24-18010 7 of 10 Copy from re:SearchTX
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 8
PLEADING_BODY
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
...Emergency Department on January 14th, 2026. He has a known history of congestive heart failure (CHF). During this evaluation, it was determined that Mr. McKemie has been unable to access essential heart-failure medications, including tirzepatide, Carvedilol, Lisinopril, Furosemide, and Potassium supplementation, due to lack of access to his insurance/HSA. In my medical opinion, interruption of these medications places Mr. McKemie at significant risk of acute decompensated heart failure, electrolyte imbalance, and hospitalization. Immediate and uninterrup...
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 9
PLEADING_BODY
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
...ger has access to his HSA (Health Savings Account) Card. Jason has used this card to pay copays for nearly two years. He recently lost his employment and is experiencing financial hardship, and access to this card is necessary for him to afford prescription medications and related medical care. Sincerely, Evan Dittmar, MD Copy from re:SearchTX
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 10
PLEADING_BODY
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
L BaylorScott&White HEALTHTEXAS PROVIDER NETWORK September 18, 2025 BAYLOR SCOTT & WHITE MEDPROVIDER 3417 GASTON AVE SUITE 1100 DALLAS TX 75246 Jason Emory McKemle Phone: 469-800-9000 539 W Commerce St Pmb 2010 Fax: 469-800-9010 Dallas TX 75208 To whom it may concern, { am the primary care provider for Jason McKemie. Mr. McKemie has a history of congestive heart failure and cardiomyopathy. It is medically necessary that he remain uninterrupted on his prescription medications to manage his medical conditions and reduce the risk of future complications or...
#180
2026-01-14
Respondent / Jason
Motion - Miscellaneous
Page 11
FILING_STAMP_OR_ESERVICE
MOTION TO ABATE TRIAL, ENFORCE DISCOVERY ORDERS AND HEALTHCARE REINSTATEMENT_08FF3A8E.pdf
on the date and to the persons listed below. The rules governing Envelope ID: 110069888 Filing Code Description: Motion - Miscellaneous Filing Description: Status as of 1/22/2026 8:14 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Jason McKemie jmckemie@mckemie.net 1/14/2026 11:40:30 PM SENT Gwendolyn Ulijasz McKemie GUlijasz@gmail.com 1/14/2026 11:40:30 PM SENT Copy from re:SearchTX
#173
2026-01-12
Respondent / Jason
Motion - Miscellaneous IN
Page 1
PLEADING_START_FILE_MARKED
MOTION STAY PROPERTY RETRIEVAL DUE TO MEDICAL INCAPACITY_52A3AB61.pdf
...TECTIVE CONDITIONS ON COURT- AUTHORIZED PROPERTY RETRIEVAL DUE TO MEDICAL INCAPACITY TO THE HONORABLE JUDGE OF SAID COURT: Jason McKemie respectfully moves for emergency relief to prevent irreparable and irreversible harm arising from a scheduled property retrieval or "clean-out" on January 17th, 2026, while Mr. McKemie is medically incapacitated and anticipating inpatient hospitalization. This motion does not seek adjudication of ownership or final division of property. It seeks a temporary stay or, alternatively, strict, neutral protective conditions t...
#173
2026-01-12
Respondent / Jason
Motion - Miscellaneous IN
Page 2
PLEADING_BODY
MOTION STAY PROPERTY RETRIEVAL DUE TO MEDICAL INCAPACITY_52A3AB61.pdf
...the Court, Mr. McKemie further offers to facilitate retrieval by staging approved items in a neutral location (e.g., a garage) pursuant to a court-ordered protocol. Ill. RELIEF REQUESTED (TEMPORARY STAY OR PROTECTIVE CONDITIONS) Mr. McKemie respectfully requests that the Court enter one of the following: - E. PRIMARY RELIEF TEMPORARY STAY 1 TEMPORARY STAY OF ACCESS. Atemporary stay of any property retrieval or clean-out during Mr. McKemie's inpatient hospitalization and for five (5) days following discharge, to allow medical stabilization and meaningful...
#173
2026-01-12
Respondent / Jason
Motion - Miscellaneous IN
Page 3
PLEADING_BODY
MOTION STAY PROPERTY RETRIEVAL DUE TO MEDICAL INCAPACITY_52A3AB61.pdf
...or cabinets beyond what is reasonably necessary to retrieve listed items. No tracking devices, recording devices, or inspection activity of any kind. Retrieval only. 7. INVENTORY AND PHOTOGRAPHS. The neutral third party shall inventory and photograph all items removed at the time of retrieval and provide copies to both parties within twenty-four (24) hours. 8. NEGATIVE INVENTORY; NO ATTRIBUTION. Petitioner has previously removed significant items from the residence during multiple court- authorized access periods. On subsequent occasions, certain items...
#173
2026-01-12
Respondent / Jason
Motion - Miscellaneous IN
Page 4
PLEADING_BODY
MOTION STAY PROPERTY RETRIEVAL DUE TO MEDICAL INCAPACITY_52A3AB61.pdf
removal, inventory, or storage of property be conducted solely by the landlord or a neutral third party under lawful authority, with written inventory and preservation pending further order of the Court. IV. ESSENTIAL LIVING PROPERTY (EXPRESS EXCLUSION) 13. Mr. McKemie is currently medically compromised and lacks access to funds or credit. To prevent irreparable harm, any property retrieval shall expressly exclude essential living items necessary for Respondent's daily survival and medical needs, including but not limited to: a bed and bedding, mattress,...
#173
2026-01-12
Respondent / Jason
Motion - Miscellaneous IN
Page 5
FILING_STAMP_OR_ESERVICE
MOTION STAY PROPERTY RETRIEVAL DUE TO MEDICAL INCAPACITY_52A3AB61.pdf
...ned a protective order. Respondent has no criminal history, no history of violence, and no background of domestic abuse or violent conduct. According to Petitioner's own financial disclosures, approximately $24,000 was expended on these security measures. 18. WRITTEN ASSURANCE REGARDING CAMERAS FOLLOWED BY ALLEGATIONS. Prior to at least one access event, Petitioner instructed Respondent by text message to leave the residence security cameras active so Respondent could feel assured regarding what was removed. Despite Respondent's compliance, Petitioner la...
#173
2026-01-12
Respondent / Jason
Motion - Miscellaneous IN
Page 6
PLEADING_BODY
MOTION STAY PROPERTY RETRIEVAL DUE TO MEDICAL INCAPACITY_52A3AB61.pdf
...cKemie's Emergency Motion to Temporarily Stay or, in the Alternative, Impose Protective Conditions on Court-Authorized Property Retrieval. The Court finds that emergency relief is warranted to prevent irreparable harm, preserve the status quo, and protect the integrity of the proceedings, and that Respondent's medical incapacity further heightens the need for immediate and continuing protective conditions. THE FOLLOWING PRELIMINARY FINDINGS AND BASELINE PROTECTIONS ARE ORDERED: 0. Applicability of Protective Conditions. Regardless of whether a temporary...
#173
2026-01-12
Respondent / Jason
Motion - Miscellaneous IN
Page 7
PLEADING_BODY
MOTION STAY PROPERTY RETRIEVAL DUE TO MEDICAL INCAPACITY_52A3AB61.pdf
...ces; No Recording. Retrieval shall be limited to item pickup only. No searching, rummaging, inspection activity, tracking devices, or recording devices are permitted. 8. Inventory and Photographs. The neutral third party shall inventory and photograph all items removed and provide copies to both parties within twenty-four (24) hours of retrieval. 9 Negative Inventory; No Attribution. Any listed item not present at the residence at the time of retrieval shall be deemed already removed or not present and shall not be attributed to Respondent. 10. Single, T...
#173
2026-01-12
Respondent / Jason
Motion - Miscellaneous IN
Page 8
PLEADING_BODY
MOTION STAY PROPERTY RETRIEVAL DUE TO MEDICAL INCAPACITY_52A3AB61.pdf
...tioner is expressly prohibited from entering the premises or removing any personal or marital property. 15 Landlord or Lawful Authority Control of Property. Any removal, inventory, storage, or handling of personal or marital property following such dispossession shall be conducted exclusively by the landlord or other lawful authority, not by Petitioner, with written inventory preserved pending further order of the Court. F. REPEATED PRIOR ACCESS WITHOUT RESOLUTION 16. The Court finds that Petitioner has previously been permitted multiple opportunities to...
#173
2026-01-12
Respondent / Jason
Motion - Miscellaneous IN
Page 9
PLEADING_BODY
MOTION STAY PROPERTY RETRIEVAL DUE TO MEDICAL INCAPACITY_52A3AB61.pdf
...URISDICTION 17.. This Order shall remain in effect until further order of the Court. SIGNED on January » 2026 at : am / pm (Circle One). JUDGE PRESIDING EMERGENCY MOTION TO TEMPORARILY STAY 4 of 4 DF-24-18010 Copy from re:SearchTX