All topics
Missing filings / record integrity
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 40
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
Page 1 of 1 The following constitutes the ruling of the court and has the force and effect therein described. Signed May 1, 2026 United States Bankruptcy Judge ______________________________________________________________________ BTXN 161 (rev. 01/04) UNITED STATES BANKRUPTCY COURT NORTHERN DISTRICT OF TEXAS In Re: § Jason Emory McKemie § Case No.: 26−30161−mvl7 § Chapter No.: 7 Debtor(s) § ORDER VACATING ORDER The Court, after review of the docket in the above entitled and numbered proceeding, finds that an Order approving chapter 7 trustee report and...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 53
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...SanSanAntonioAntonio receivedreceived aapublicpublic informationinformation requestrequest fromfrom JasonJason McKemie,McKemie, whichwhich requestedrequestedpolicepolicerecordsrecords[Attachment[Attachment 1].1]. ByBy thisthis RequestRequest forfor aa Ruling,Ruling, thethe citycity nownow submitssubmits aa representativerepresentative samplesample ofof thethe recordsrecords atat issue,issue, andand legallegal argumentargument supportingsupporting thethe applicationapplication ofof thethe exceptionsexceptions claimedclaimed[Attachment[Attachment 2].2]. A...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 65
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...ainst formerformer partners,partners, employers,employers, andand others.others. •• At leastAt least11 11knownknownmaliciousmaliciousprotectiveprotectiveorderorderfilings,filings,whichwhichsheshehashasbeenbeenexceptionallyexceptionally successfulsuccessful atat obtaining.obtaining. GwenGwen utilizesutilizes aa aa processprocess ofof filingfiling numerousnumerous falsefalse policepolice reportsreports overover thethe weeksweeks oror monthsmonths precedingpreceding herher fillingfilling aa petitionpetition toto thethe courtcourt forfor anan emergencyemergency...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 67
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...th falsefalse allegations.allegations. 3.3. PerpetuatePerpetuate legallegal abuseabuse andand harassmentharassment throughthrough continuedcontinued fraudulentfraudulent filings.filings. ByBy withholdingwithholding thesethese records,records, thethe CityCity ofof SanSan AntonioAntonio isis notnot onlyonly violatingviolating thethe TexasTexas PublicPublicInformationInformation Act,Act, butbut ititisis alsoalso aidingaiding andand abettingabetting ongoingongoing legallegal fraudfraud andand harassment.harassment. IfIf anyany chargeschargesexist,exist,II hav...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 105
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...ot paid any post-petition lease payments owed with respect to the property that is the subject of the Lift Stay Motion. Furthermore, counsel for the Creditor provided no records indicating that the Debtor was sufficiently served with the Lift Stay Motion or notice of the hearing on March 31, 2026. Finally, the Debtor testified that, if provided the relief requested in the Emergency Motion, he would be able to vacate the property located at 5609 La Foy Blvd by April 30, 2026. 1 The Court notes that the Debtor’s Motion has been docketed three times [ECF No...
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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
...ATUS NOTICE REGARDING PENDING VERIFIED RECUSAL, REQUEST FOR WRITTEN RULING OR REFERRAL, AND OBJECTION TO DECREE ACTION TO THE HONORABLE COURT: Jason McKemie, Respondent, files this Emergency Rule 18a Status Notice regarding his at trial and before any final decree action. This filing is not a new motion to recuse. It is a status notice, preservation filing, and objection to decree action while the Rule 18a status of the pending verified recusal remains unresolved on the docket available to Jason. I. PURPOSE OF THIS NOTICE Jason files this notice because...
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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
...rd, 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. Jason further objects to any proposed decree that omits the pending verified recusal, omits any Rule 18a ruling, omits any referral order, omits any good-cause finding, or converts Jason...
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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
...St., Ste. 2010, Dallas, Texas 75208. factual statements in this Emergency Rule 18a Status Notice are true and correct based on my available 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
Petitioner / Gwendolyn
Order
Page 3
PLEADING_BODY
2026-06-16 OUR Motion to Enter Final Decree Final.pdf
...at 1:21 p.m. on June 11, 2026 — nine minutes before the 1:30 p.m. trial setting, and long after “the tenth day before the date set for trial.” TEX. R. CIV. P. 18a(b)(1). Nothing indicates Respondent neither knew nor reasonably should have 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. Unde...
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2026-06-15
Respondent / Jason
Motion - Recuse
Page 12
EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
...ther the parties disagree. The issue is whether this record can honestly be described as ordinary. This record contains more than 120 pleadings, more than 1,400 pages of filings, repeated requests for a court reporter, repeated requests for transcripts, repeated requests for source records, repeated requests for third-party verification, more than seventy emergency filings, repeated healthcare motions, repeated enforcement motions, repeated discovery motions, repeated notices of noncompliance, repeated requests for emergency relief, repeated warnings reg...
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2026-06-12
Respondent / Jason
Objections - Misc
Page 1
PLEADING_START
RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS_55158B69.pdf
...SAL MATTERS, REQUEST TO WITHHOLD SIGNATURE AND ENTRY, AND NOTICE OF MANDAMUS TO THE HONORABLE COURT: Respondent Jason McKemie files this Emergency Notice of Under-Review Filings, Objection to Petitioner's Proposed Final Decree, Request for Recusal Delivery and Referral, Request to Withhold Signature and Entry, Request to Stay Enforcement, and Notice of Mandamus. This filing is made on an emergency basis because Petitioner's counsel transmitted a proposed Final Decree of Divorce to the Court on June 11,2026 at 4:28 p.m., described it as a "proposed judgme...
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2026-06-12
Respondent / Jason
Objections - Misc
Page 2
PROPOSED_ORDER_OR_ORDER
RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS_55158B69.pdf
...unds, stolen trial materials, stolen hard drives, stolen evidence repositories, and lack of meaningful access to litigation infrastructure. I. UNDER-REVIEW AND SUBMITTED FILINGS on June11, 2026: 1. Verified Emergency Motion to Abate, Stay, or Continue Trial, submitted June 11,2026 at 1:17:47 p.m., Envelope No. 116028476, reflected as Under Review. 2. Verified Motion to Recuse, submitted June11,2026 at 1:21:45 p.m., Envelope No. 116028734, reflected as Under Review. 3. Proposed Order on Emergency Motion to Abate, Stay, or Continue Trial, submitted June11,...
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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
1. signed/unsigned decree status; 2. docket entry and re: SearchTX status; 3. admitted exhibit ist; 4. court reporter transcript; 5. no-bridge emails; 6. bodycam/video records; 7. Apple/Find My records; 8. SAPD property-chain records; 9. SAPD reports and bodycam; 10.Dallas police/constable records; 1 healthcare/HSA/FSA records; 12.EBSA/DOL records; 13.sourcefinancial records; 1 Accenture/Businessolver/Aetna/HSA/FSA records; 15.lease-buyout, writ, eviction, mover, U-Haul, payment, vendor, and chain-of-custody records; 16.declarations, exhibits, screenshot...
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2026-06-12
Respondent / Jason
Objections - Misc
Page 13
EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS_55158B69.pdf
...address is 539 W. Commerce St., Suite 2010, Dallas, Texas 75208. | declare under penalty of perjury that the factual statements in this Emergency Notice are re:SearchTX records, emails received by me, records reviewed by me, medical records, SAPD records, HSA records, screenshots, videos, audio recordings, location records, and documents in my possession or accessible to me. remain under review or submitted. | did not consent to trial, evidence, prove-up, rendition, decree, judgment, enforcement, fees, costs, sanctions, property division, debt allocatio...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 32
CERTIFICATE_OF_SERVICE
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
VERIFICATION / UNSWORN DECLARATION My name is Jason McKemie. | am over eighteen years of age, of sound mind, and competent to make in this Motion, and they are true and this declaration. have personal knowledge the facts stated correct to the best of my knowledge. | declare under penalty of perjury that the foregoing is true and correct. JasonJobeMcKemie JasonJobeMcKemie DF-24-18010 Motion for Enforcement, Sanctions, Continuance, & Leave Page 17 of 17 Copy from re:SearchTX
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 41
EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
...ressly excepted from the automatic stay while preserving trustee and bankruptcy-court rights. 1 trial-readiness hearing is adjudicate theft, What the family court should not do at this June Page 8 of 17 Copy from re:SearchTX
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 50
CERTIFICATE_OF_SERVICE
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
By: /s/ Jonathan D. Steele JONATHAN D. STEELE Page 17 of 17 Copy from re:SearchTX
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 75
EXHIBIT_START
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
EXHIBIT LIST (TO BE ATTACHED) Exhibit A: Respondent/Movant Pleadings Index by Category (100 filings / 1,110 pages). Exhibit B: Motion to Compel with Color Production Grid Exhibit D: Credit Card Over Payment Exhibit E: Signed Order to Reinstate Healthcare Exhibit F: Motion to Compel Docket Sheet Exhibit G: Benefits Summary generated February 2, 2026, reflecting multiple coverages waived Exhibit H: Motion to Obtain Certified Transcript of January 7, 2025 Hearing (with proposed order). Exhibit I: Motion to Establish Conditions for Re-Entry of Counsel and Pr...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 128
EXHIBIT_START
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
EXHIBIT LIST (TO BE ATTACHED) Exhibit A: Respondent/Movant Pleadings Index by Category (100 filings / 1,110 pages). Exhibit B: Motion to Compel with Color Production Grid Exhibit D: Credit Card Over Payment Exhibit E: Signed Order to Reinstate Healthcare Exhibit F: Motion to Compel Docket Sheet Exhibit G: Benefits Summary generated February 2, 2026, reflecting multiple coverages waived Exhibit H: Motion to Obtain Certified Transcript of January 7, 2025 Hearing (with proposed order). Exhibit I: Motion to Establish Conditions for Re-Entry of Counsel and Pr...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 131
EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
...d due process. D. LANDLORD, PROPERTY MANAGER, AND ASSOCIATED FINANCIAL INSTITUTIONS Lease files, modifications, buyouts, rent ledgers, payment history, notices, eviction filings/records, and complete banking and payment records sufficient to verify whether rent or housing-related payments were made directly or indirectly on Petitioner's behalf, including but not limited to: 1) records from any financial institution holding accounts for the landlord or property manager, including Wells Fargo Bank, N.A., reflecting deposits, Zelle transactions, ACH credits...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 32
CERTIFICATE_OF_SERVICE
DF-24-18010 - Respondent's De Novo Hearing Request (CMP) (3).pdf
VERIFICATION / UNSWORN DECLARATION My name is Jason McKemie. I am over eighteen years of age, of sound mind, and competent to make this declaration. I have personal knowledge of the facts stated in this Motion, and they are true and correct to the best of my knowledge. I declare under penalty of perjury that the foregoing is true and correct. __________________________________ Jason McKemie __________________________________ Jason McKemie DF-24-18010 Motion for Enforcement, Sanctions, Continuance, & Leave Page 17 of 17
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 41
EXHIBIT_CONTINUATION
DF-24-18010 - Respondent's De Novo Hearing Request (CMP) (3).pdf
...nd proceed on dissolution and other matters expressly excepted from the automatic stay while preserving trustee and bankruptcy-court rights. What the family court should not do at this June 1 trial-readiness hearing is adjudicate theft, Page 8 of 17
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 50
CERTIFICATE_OF_SERVICE
DF-24-18010 - Respondent's De Novo Hearing Request (CMP) (3).pdf
By: /s/ Jonathan D. Steele JONATHAN D. STEELE Page 17 of 17
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 75
EXHIBIT_START
DF-24-18010 - Respondent's De Novo Hearing Request (CMP) (3).pdf
EXHIBIT LIST (TO BE ATTACHED) • Exhibit A: Respondent/Movant Pleadings Index by Category (100 filings / 1,110 pages). • Exhibit B: Motion to Compel with Color Production Grid • Exhibit D: Credit Card Over Payment • Exhibit E: Signed Order to Reinstate Healthcare • Exhibit F: Motion to Compel Docket Sheet • Exhibit G: Benefits Summary generated February 2, 2026, reflecting multiple coverages waived. • Exhibit H: Motion to Obtain Certified Transcript of January 7, 2025 Hearing (with proposed order). • Exhibit I: Motion to Establish Conditions for Re-Entry...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 128
EXHIBIT_START
DF-24-18010 - Respondent's De Novo Hearing Request (CMP) (3).pdf
EXHIBIT LIST (TO BE ATTACHED) • Exhibit A: Respondent/Movant Pleadings Index by Category (100 filings / 1,110 pages). • Exhibit B: Motion to Compel with Color Production Grid • Exhibit D: Credit Card Over Payment • Exhibit E: Signed Order to Reinstate Healthcare • Exhibit F: Motion to Compel Docket Sheet • Exhibit G: Benefits Summary generated February 2, 2026, reflecting multiple coverages waived. • Exhibit H: Motion to Obtain Certified Transcript of January 7, 2025 Hearing (with proposed order). • Exhibit I: Motion to Establish Conditions for Re-Entry...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 131
EXHIBIT_CONTINUATION
DF-24-18010 - Respondent's De Novo Hearing Request (CMP) (3).pdf
...d due process. D. LANDLORD, PROPERTY MANAGER, AND ASSOCIATED FINANCIAL INSTITUTIONS Lease files, modifications, buyouts, rent ledgers, payment history, notices, eviction filings/records, and complete banking and payment records sufficient to verify whether rent or housing-related payments were made directly or indirectly on Petitioner’s behalf, including but not limited to: 1) records from any financial institution holding accounts for the landlord or property manager, including Wells Fargo Bank, N.A., reflecting deposits, Zelle transactions, ACH credits...
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2026-06-01
Respondent / Jason
Response
Page 24
EXHIBIT_START
RESPONSE TO PETITIONER (FNL)_17D5B70E.pdf
EXHIBIT LIST (TO BE ATTACHED) • Exhibit A: Respondent/Movant Pleadings Index by Category (100 filings / 1,110 pages). • Exhibit B: Motion to Compel with Color Production Grid • Exhibit D: Credit Card Over Payment • Exhibit E: Signed Order to Reinstate Healthcare • Exhibit F: Motion to Compel Docket Sheet • Exhibit G: Benefits Summary generated February 2, 2026, reflecting multiple coverages waived. • Exhibit H: Motion to Obtain Certified Transcript of January 7, 2025 Hearing (with proposed order). • Exhibit I: Motion to Establish Conditions for Re-Entry...
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2026-06-01
Respondent / Jason
Response
Page 77
EXHIBIT_START
RESPONSE TO PETITIONER (FNL)_17D5B70E.pdf
EXHIBIT LIST (TO BE ATTACHED) • Exhibit A: Respondent/Movant Pleadings Index by Category (100 filings / 1,110 pages). • Exhibit B: Motion to Compel with Color Production Grid • Exhibit D: Credit Card Over Payment • Exhibit E: Signed Order to Reinstate Healthcare • Exhibit F: Motion to Compel Docket Sheet • Exhibit G: Benefits Summary generated February 2, 2026, reflecting multiple coverages waived. • Exhibit H: Motion to Obtain Certified Transcript of January 7, 2025 Hearing (with proposed order). • Exhibit I: Motion to Establish Conditions for Re-Entry...
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2026-06-01
Respondent / Jason
Response
Page 80
EXHIBIT_CONTINUATION
RESPONSE TO PETITIONER (FNL)_17D5B70E.pdf
...d due process. D. LANDLORD, PROPERTY MANAGER, AND ASSOCIATED FINANCIAL INSTITUTIONS Lease files, modifications, buyouts, rent ledgers, payment history, notices, eviction filings/records, and complete banking and payment records sufficient to verify whether rent or housing-related payments were made directly or indirectly on Petitioner’s behalf, including but not limited to: 1) records from any financial institution holding accounts for the landlord or property manager, including Wells Fargo Bank, N.A., reflecting deposits, Zelle transactions, ACH credits...
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2026-06-01
Respondent / Jason
Response
Page 24
EXHIBIT_START
DF-24-18010 - RESPONSE TO PETITIONER (FNL).pdf
EXHIBIT LIST (TO BE ATTACHED) • Exhibit A: Respondent/Movant Pleadings Index by Category (100 filings / 1,110 pages). • Exhibit B: Motion to Compel with Color Production Grid • Exhibit D: Credit Card Over Payment • Exhibit E: Signed Order to Reinstate Healthcare • Exhibit F: Motion to Compel Docket Sheet • Exhibit G: Benefits Summary generated February 2, 2026, reflecting multiple coverages waived. • Exhibit H: Motion to Obtain Certified Transcript of January 7, 2025 Hearing (with proposed order). • Exhibit I: Motion to Establish Conditions for Re-Entry...
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2026-06-01
Respondent / Jason
Response
Page 77
EXHIBIT_START
DF-24-18010 - RESPONSE TO PETITIONER (FNL).pdf
EXHIBIT LIST (TO BE ATTACHED) • Exhibit A: Respondent/Movant Pleadings Index by Category (100 filings / 1,110 pages). • Exhibit B: Motion to Compel with Color Production Grid • Exhibit D: Credit Card Over Payment • Exhibit E: Signed Order to Reinstate Healthcare • Exhibit F: Motion to Compel Docket Sheet • Exhibit G: Benefits Summary generated February 2, 2026, reflecting multiple coverages waived. • Exhibit H: Motion to Obtain Certified Transcript of January 7, 2025 Hearing (with proposed order). • Exhibit I: Motion to Establish Conditions for Re-Entry...
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2026-06-01
Respondent / Jason
Response
Page 80
EXHIBIT_CONTINUATION
DF-24-18010 - RESPONSE TO PETITIONER (FNL).pdf
...d due process. D. LANDLORD, PROPERTY MANAGER, AND ASSOCIATED FINANCIAL INSTITUTIONS Lease files, modifications, buyouts, rent ledgers, payment history, notices, eviction filings/records, and complete banking and payment records sufficient to verify whether rent or housing-related payments were made directly or indirectly on Petitioner’s behalf, including but not limited to: 1) records from any financial institution holding accounts for the landlord or property manager, including Wells Fargo Bank, N.A., reflecting deposits, Zelle transactions, ACH credits...
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2026-05-29
Respondent / Jason
Response
Page 8
PLEADING_BODY
RESPONSE COUNTERMOTION_61339D8C.pdf
...ressly excepted from the automatic stay while preserving trustee and bankruptcy-court rights. 1 trial-readiness hearing is adjudicate theft, What the family court should not do at this June Page 8 of 17 Copy from re:SearchTX
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2026-05-29
Respondent / Jason
Response
Page 17
CERTIFICATE_OF_SERVICE
RESPONSE COUNTERMOTION_61339D8C.pdf
By: /s/ Jonathan D. Steele JONATHAN D. STEELE Page 17 of 17 Copy from re:SearchTX
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2026-05-26
Court
Notice Of Hearing / Fiat
Page 2
CERTIFICATE_OF_SERVICE
NOTICE OF HEARING - MOTIONS_4F732A81.pdf
The threshold issue for this hearing is financial trial readiness: e Nosource records, no estate reconstruction. No estate reconstruction, no final trial. PROPOSED ORDERS TO BE PRESENTED Jason McKemie may present proposed orders including, but not limited to: 1. Proposed Order Granting Leave to Issue Third-Party Subpoenas for Financial, Lease, QLE, Benefits, and Estate Source Records; 2. Proposed Order Granting Leave to Issue Third-Party Subpoenas Concerning April 16 Theft, Movers, Security, Contractors, and Chain of Custody; and 3. Proposed Order Reserv...
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2026-05-15
Filer unknown
Notice Of Hearing / Fiat 21 HEARING
Page 2
PLEADING_BODY
SUPPLEMENTAL NOTICE OF TRIAL READINESS ETC_5EBF9125.pdf
Il. IMMEDIATE CASH STABILIZATION 5. Respondent requests immediate cash stabilization. 6. Non-monetary relief will not prevent immediate harm. Respondent is homeless, without reliable food, without reliable medication access, without stable transportation, without stable phone/utility access, without working trial-preparation infrastructure, and without funds to retain counsel. 7. Nothing short of immediate cash will restore the minimum ability to eat, obtain medication, travel, print, communicate, preserve property, protect evidence, and prepare for tria...
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2026-05-15
Filer unknown
Notice Of Hearing / Fiat 21 HEARING
Page 11
CERTIFICATE_OF_SERVICE
SUPPLEMENTAL NOTICE OF TRIAL READINESS ETC_5EBF9125.pdf
...review of prior filings, my review of prior discovery submissions, my review of the condition of my residence and property after April 16, 2026, my attempts to identify missing, damaged, stolen, destroyed, inaccessible, or removed hard drives and litigation materials, my review of healthcare and benefits access issues, my review of financial and survival conditions, my prior involvement in matters involving Jonathan Drake Steele and Christopher McNally, my review of witness-related issues affecting Christopher McNally, and my review of the docket and pr...
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2026-05-14
Respondent / Jason
Order
Page 3
PLEADING_BODY
2026.05.14 Pleading History.pdf
...... EMER... CONDIT.... F... ON EMERGE... FOR ON ON TRIAL, OF REPOR... STOR.... TO ON EMERGEN... PROPERTY EMERGENC... APPLICATION MOTION ABATE ORDER FOR ORDER ORDER ORDER NOTICE JUDGE'S PUBLIC MOTION ORDER TO ESTABLISH HEARING.pdf AND MANUFACTURE... STAY SHEET.pdf ON - Documents MOTION PROPOSED EMERGENCY EMERGENCY PROPOSED & MOTION & ASSOCIATE DOCKET & Documents MOTIONÊ OF No ¿ & NOTICE PETITIONER'S AFFIDAVIT EMERGENCY & APPLICATION PROPOSED& PROPOSED& PROPOSEDÔ OBJECTION AFFIDAVIT ... ... M.. M... M... pr... HE... AB.... ON OR... EME... EME... EME.. EME....
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2026-05-14
Respondent / Jason
Order
Page 7
PLEADING_BODY
2026.05.14 Pleading History.pdf
...AR... TO IN... BA... UNRUL... AB... ORDER OF 18A FOR 302N... ... M/R.. ORD... SEEK... DISCO... OF LETTER. OF RESPOND... TO FILING O MOTION RULE OF MOTION VERIFIED INTENT NOTICE PROCEDURAL COPY PUBLIC RECUSAL.pdf OBJECTION COVER OF NOTICE PAGE ORDER/JUDGME... - RECUSE.pdf SCHEDULING OF MATERIAL - PAGE TRANSFER- OF Documents ORDER E-SERVE E-SERVED EXHIBITS.pdf PROPOSED COVER NOTICE EMERGENCY EMERGENCY & & & Ô & DECLARATION & No & JUDICIAL Documents RESPONDENT MOTION PRETRIAL ¿ & COVER Ê NOTICEICE NOTICE Ô ORDER ERRONEOUS PROPOSED M... O... M... P... mot......
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2026-05-14
Respondent / Jason
Order
Page 8
PLEADING_BODY
2026.05.14 Pleading History.pdf
...TION TO OF Documents EVIDENCE DECLARATION FINANCIAL EMERGENCY PROPOSED EMERGENCY REQUEST MOTION & & & & Documents PROPOSED ¿ M/SANCTIONS.pdf No MOTION Ê & PROPOSED & Ê ¿ NOTICE PROPOSED PROPOSED PROPOSED PROPOSED PROPOSED PROPOSED PROPOSED B N... M... ... FOR GRANTI... RE.. REL... FA...OF GRANTI.. ENF...TO PRE...TO EM...FOR REO...TO MO...ON e... TRI.. OB...OF PR... M... BENCH TO Comments EMERGENCY EMERGENCY ORDER REQUEST GRANTING FINANCIAL FINDING ORDER ORDER ORDER ORDER ORDER ORDER Respondent's OF NOTICE MOTION EMERGENCY P... OF WANT ENTRY MISC - ORDER/...
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2026-05-14
Respondent / Jason
Order
Page 12
PLEADING_BODY
2026.05.14 Pleading History.pdf
> Filing 227 of Share All 221-227 < KSelect/Deselect Owned Price - Free Pages : ANN... TO f f i O PETITION Documents Documents Documents Documents ORIGINAL Documents No No No & No p... S... ex TRO Comments Temporary Amended O... FA... - Event Filing Filing Service Service Filing Filing Filing V Date 12/18/2024 12/18/2024 12/18/2024 12/18/2024 12/16/2024 12/16/2024 12/16/2024
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 3
PLEADING_BODY
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
...Court is inclined to consider admission, Respondent requests an evidentiary hearing on the objection before admission is granted, with a court reporter or other verbatim record. Vil. REQUEST FOR IMMEDIATE EMERGENCY STABILIZATION FUNDS Respondent requests immediate emergency stabilization relief because court-registry processing alone may not prevent imminent homelessness, inability to travel to court, inability to purchase food, inability to purchase medication, inability to print pleadings, loss of phone access, utility interruption, or loss of vehicle...
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 6
EXHIBIT_START
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
...eview of the case record, my review of prior discovery submissions, my review of the condition of my residence and property after April 16, 2026, my attempts to identify missing/damaged hard drives and litigation materials, and my review of the docket and prior filings. Jason McKemie DF-24-18010 6 Copy from re:SearchTX
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2026-05-12
Respondent / Jason
Motion - Miscellaneous
Page 29
EXHIBIT_CONTINUATION
SUPPLEMENTAL MOTION STABILIZATION -OBJECTIONS TO PHV ADMISSION_02F920EF.pdf
...LAS DIVISION § In re: § Chapter 7 § JASON EMORY MCKEMIE, § CASE NO. 26-30161-MVL-7 § Debtor. § § ORDER GRANTING IN PART DEBTOR'S EMERGENCY MOTION Before the Court is the Notice ofInability to Comply with Move-Out Deadline and Request (the "Debtor"), pro se, on April 30, 2026 [ECF No. 69].' In the Motion, the Debtor requests that Material Changed Circumstances, and Requestfor Immediate Status [ECF No. 71] on May 1, 2026. 1 Copy from re:SearchTX
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2026-05-11
Respondent / Jason
Motion - Miscellaneous
Page 8
EXHIBIT_CONTINUATION
MOTION WRITTTEN DISCOVERY RULINGS ETC_D0F7BBA4.pdf
...eview of the case record, my review of prior discovery submissions, my review of the condition of my residence and property after April 16, 2026, my attempts to identify missing/damaged hard drives and litigation materials, and my review of the docket and prior filings. DF-24-18010 8 of 12 Copy from re:SearchTX
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#216
2026-04-07
Respondent / Jason
Objections - Misc
Page 9
PLEADING_BODY
OBJECTION TO PRO HAC VICE AND REQUEST ENFORCEMENT & STABILIZATION_72275AB8.pdf
32. The record also remains burdened by protective-order allegations that Respondent contends did not occur and are contradicted by transcript, audio, video, and text- exhibits. A case built on disputed allegations and broken financial records message should not be further armed before the Court first addresses the foundation. Vil. THIS CASE HAS SPILLED INTO MULTIPLE COURTS, AGENCIES, AND FEDERAL FORUMS 33 This case is no longer contained within one family-court docket. It has spilled into multiple JP-court eviction proceedings, a county-court appeal fro...
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#216
2026-04-07
Respondent / Jason
Objections - Misc
Page 12
PLEADING_BODY
OBJECTION TO PRO HAC VICE AND REQUEST ENFORCEMENT & STABILIZATION_72275AB8.pdf
...ete or disguise community value through untraced litigation spend. Any claimed litigation expense that cannot be traced from source to recipient through competent source-record proof shall not be recognized as a valid community charge, shall not support further counsel expansion, shall not support any claim of financial inability, and shall be treated as an unsupported unilateral expenditure subject to add-back, reconstitution, reimbursement, and expense-shifting in Petitioner's column unless and until Petitioner proves otherwise by competent tracing. b)...
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#214
2026-04-02
Respondent / Jason
Objections - Misc
Page 1
PLEADING_START_FILE_MARKED
OBJECTION TO PRO HAC VICE ADMISSION_72FBABD8.pdf
4/2/2026 2:39 PM DALLAS CO., TEXAS THE MARRIAGE OF 5 § & § RESPONDENT'S OBJECTION TO PRO HAC VICE ADMISSION; NOTICE OF FORTHCOMING SUPPLEMENTAL GOOD-CAUSE FILING; TO DEFER RULING AND FOR CLERK TO HALT REQUEST PRESENTMENT OF THE PROPOSED ORDER FOR SIGNATURE TO THE HONORABLE JUDGE OF SAID COURT: Respondent Jason McKemie hereby objects to the proposed pro hac vice admission of Jonathan Drake Steele. This request is opposed and should not be granted. At minimum, ruling should be deferred pending hearing. This is not a neutral appearance request. It arises in...
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#213
2026-03-24
Court
Motion - Miscellaneous IN SUPPORT
Page 1
PLEADING_START_FILE_MARKED
10 DAY LTR_1BAA6D38.pdf
3/24/2026 4:34 PM DALLAS CO., TEXAS Armstronga and FamilyLaw March 24, 2026 Via E-File 600 Commerce Street Dallas, Texas 75202 Via E-File and Email Jason McKemie Email: jason@callvital.com Email: jmckemie@mckemie.net Texas. Dear Clerk: On this date, I am e-filing, along with this 10-Day Letter, the Order Granting Pro Hac Vice Admission ofJonathan Drake Steele prepared by our office. By copy ofthis letter, I am providing an additional copy of the proposed orders to Respondent, Jason McKemie. If you do not receive specific written objection from Respondent...
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#199
2026-02-20
Respondent / Jason
Notice Of Filing
Page 6
DECLARATION
EMERGENCY VERIFIED MOTION TO CONTINUE OR ABATE BENCH TRIAL_109EBB73.pdf
...0, 2026. Jason McKemie 539 W. Commerce St., Suite 2010 Dallas, TX 75208 214-868-4901 jmckemie@mckemie.net e Exhibit A: Respondent/Movant Pleadings Index by Category (100 filings / 1,110 pages). e Exhibit C: District 302 Timeline (Judge Jackson) with short-form summaries. e Exhibit D: Associate Judge's Report dated January 12, 2026 (Motion to Compel granted; Jan 9 deadline; HSA card note). e Exhibit E: District docket sheet entry noting "no written orders re: 1/6/26 hearing or compel orders." e Exhibit F: Order on Emergency Reinstatement of Healthcare sig...
#196
2026-02-18
Respondent / Jason
Notice Of Bankruptcy
Page 2
PLEADING_BODY
RESPONDENT'S NOTICE OF BANKRUPTCY AUTOMATIC STAY_AA28F712.pdf
...ctfully Submitted, Pawnee - Jason McKemie 539 W. Commerce St., Ste. 2010 Dallas, TX 75208 | . 214-868-4901 jmckemie@mckemie.net Document Page 1ofi CLERK, U.S. BANKRUPTCY COURT NORTHERN DISTRICT OF TEXAS ENTERED THE DATE OF ENTRY IS ON THE COURT'S DOCKET The following constitutes the ruling of the court and has the force and effect therein described Signed February 18, 2026 United States Bankruptcy 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...
#195
2026-02-17
Respondent / Jason
Objections - Misc
Page 1
PLEADING_START_FILE_MARKED
RESPONDENT'S FORMAL OBJECTION TO ANY PURPORTED SEALING OF RECORDS_408A7A93.pdf
2/17/2026 7:34 AM THE MARRIAGE OF § § § RESPONDENT'S FORMAL OBJECTION TO ANY PURPORTED SEALING OF RECORDS Respondent, Jason McKemie, files this Formal Objection to any Purported Sealing of Records in this matter and gives notice to the Court that no valid sealing order has been noticed, heard, or entered on the record with Respondent's participation. Respondent has never been served with a motion to seal, afforded notice of any request to seal, or provided an opportunity to be heard in related matters. Respondent has nevertheless discovered an unsigned a...
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#190
2026-02-06
Respondent / Jason
Notice Of Filing
Page 1
PLEADING_START_FILE_MARKED
NOTICE ON STATUS OF PROPOSED ORDER_9BFB63F9.pdf
...ogether with confirmation that the Court's working record has been restored. Due process is implicated where record integrity is compromised, including where filings are missing from the Court's working set, not reflected on the docket as expected, or not available for review at the time of ruling. If this matter proceeds to trial without confirming record completeness and addressing material gaps, the Court risks adjudicating on an incomplete and unreliable foundation, and even a well-intended ruling may be neither fair nor durable, inviting post-trial...
#190
2026-02-06
Respondent / Jason
Notice Of Filing
Page 2
PLEADING_BODY
NOTICE ON STATUS OF PROPOSED ORDER_9BFB63F9.pdf
...preventing outcomes that might distribute responsibility or undermine a singular victim narrative. Respondent further advises that this pattern has not been confined to filings or courtroom statements. It has repeatedly included law-enforcement involvement and other third-party processes in close temporal proximity to key decision points. Over the past approximately thirteen months, Respondent has had to respond to more than nineteen police reports and resulting inquiries, involving multiple detectives and repeated interrogations, including occasions on...
#190
2026-02-06
Respondent / Jason
Notice Of Filing
Page 3
PLEADING_BODY
NOTICE ON STATUS OF PROPOSED ORDER_9BFB63F9.pdf
...Respondent maintains substantial supporting documentation and will provide it in an organized manner in the forthcoming consolidated submission. 3. RECORD INTEGRITY AND MISSING FILINGS AFFECTING DUE PROCESS AND TRIAL READINESS. Respondent further advises the Court that, independent of the merits of any disputed issue, record integrity has been a persistent and material problem in this matter. Respondent has repeatedly extended periods, and later disappeared from the docket or became inaccessible. In some instances, only the link vanishes, effectively re...
#190
2026-02-06
Respondent / Jason
Notice Of Filing
Page 4
PLEADING_BODY
NOTICE ON STATUS OF PROPOSED ORDER_9BFB63F9.pdf
...not been reliably corrected despite repeated efforts, including Respondent referencing the issue in at least one subsequent filing. These irregularities have resulted in filings not appearing on the docket as expected, not being reliably available in the Court's working set at the time of hearings, and requiring resubmission or repeated efforts to restore visibility. Respondent contends that additional critical submissions remain absent or not reliably accessible for Court review despite ongoing efforts to correct the issue. Because these conditions dire...
#190
2026-02-06
Respondent / Jason
Notice Of Filing
Page 5
PROPOSED_ORDER_OR_ORDER
NOTICE ON STATUS OF PROPOSED ORDER_9BFB63F9.pdf
...ened scrutiny, itemization, and verification before being relied upon for fee shifting or any credibility-sensitive ruling. 4. STATUS UPDATE: PROPOSED ORDER AND UPCOMING FILINGS TO NARROW ISSUES AND PREVENT AVOIDABLE RETRIAL At the Court's direction, Respondent is completing a proposed order reflecting the Court's evaluation from the February 5 hearing and will file that proposed order promptly. In parallel, Respondent is finalizing a consolidated submission identifying specific gaps in the financial disclosures, benefits administration, and discovery re...
#190
2026-02-06
Respondent / Jason
Notice Of Filing
Page 6
FILING_STAMP_OR_ESERVICE
NOTICE ON STATUS OF PROPOSED ORDER_9BFB63F9.pdf
...kemie.net EXHIBITS: A Confirmation that Petitioner Triggered Benefits Termination on 10/31/2025 B Prior Benefits Still Terminated which Accenture is Working to Restore C Missing E-File Envelope ID: 99379675 D Missing Filing: Petitioner's Testifying Expert Disclosures E Missing E-File Envelope ID: 103183039 F Missing Filing: Emergency Motion to Preserve Evidence and continue trial due to procedural sabotage and documented perjury NOTICE REGARDING STATUS OF PROPOSED ORDER, ELEVATED RISK OF SAFETY-BASED ALLEGATIONS, AND MATTERS BEARING ON JUDICIAL MANAGEMEN...
#190
2026-02-06
Respondent / Jason
Notice Of Filing
Page 18
EXHIBIT_CONTINUATION
NOTICE ON STATUS OF PROPOSED ORDER_9BFB63F9.pdf
...& Cook's role in this process has not been merely questionable-it has been sanctionable. And while Petitioner reserves the right to pursue sanctions under Rule 215, this record must now reflect the pattern of conduct that brought this case to the brink of collapse. Petitioner, Jason McKemie, Pro Se, files this EMERGENCY MOTION TO PRESERVE EVIDENCE AND CONTINUE TRIAL DUE TO PROCEDURAL SABOTAGE AND BREAKDOWN IN JUDICIAL OVERSIGHT not only to continue trial proceedings but to formally preserve key evidence before it is buried under the weight of procedural...
#190
2026-02-06
Respondent / Jason
Notice Of Filing
Page 23
EXHIBIT_CONTINUATION
NOTICE ON STATUS OF PROPOSED ORDER_9BFB63F9.pdf
...e housing and Eviction During Medical Hardship. Petitioner will be rendered homeless if this request is not ruled upon this week. 3. PRESERVE THE FOLLOWING MATERIALS AND RECORDS To ensure a complete and permanent record for appellate, oversight, and investigative purposes: A. Court and Judicial Metadata internal court administrative metadata associated with each motion and emergency filing submitted in this case, including: Date and time of filing and clerk acceptance; e First view or access timestamp by any judicial officer, clerk, or court staff; e Int...
#183
2026-01-20
Respondent / Jason
Notice Of Filing
Page 1
PLEADING_START_FILE_MARKED
NOTICE OF PRIOR STANDING REQUEST FOR COURT REPORTER_VERBATIM RECORD_BA50ADB4.pdf
...AM DALLAS CO., TEXAS NOTICE: DOCUMENT CONTAINS DF-24-18010 NO. SENSITIVE INFORMATION. MARRIAGE OF § § & § NOTICE OF PRIOR STANDING FOR REQUEST COURT REPORTER / VERBATIM RECORD FOR HEARINGS ON TUES, JAN 20TH & THURS, JAN 22ND (Both @ 9AM) NOTICE IS HEREBY GIVEN: Respondent files this notice as a courtesy reminder to the Court and all parties of Respondent's existing standing request for a court reporter and verbatim record of proceedings, and to confirm that request applies to the upcoming hearings set for January 20, 2026 at 9:00 a.m. (Central) and Janu...
#181
2026-01-15
Respondent / Jason
Notice Of Hearing / Fiat
Page 3
CERTIFICATE_OF_SERVICE
NOTICE OF HEARING_2B270165.pdf
...rocedure. Govern yourself accordingly. Respectfully, Jason McKemie Respondent, Pro Se 539 W. Commerce St., Ste. 2010 Dallas, TX 75208 (214) 868-4901 jmckemie@mckemie.net record, and provided to the Court on January 15, 2026, by electronic filing & email. JASON MCKEMIE CA CONSOLIDATED NOTICE OF HEARINGS 3 of 3 DF-24-18010 Copy from re:SearchTX
#182
2026-01-15
Respondent / Jason
Motion - Miscellaneous
Page 1
PLEADING_START_FILE_MARKED
MOTION ESTABLISH CONDITIONS FOR RE-ENTRY OF COUNSEL_9FE87EA3.pdf
1/15/2026 4:00 PM DALLAS CO., TEXAS NOTICE: DOCUMENT CONTAINS DF-24-18010 NO. SENSITIVE INFORMATION. MARRIAGE OF § § & § RESPONDENT'S MOTION TO ESTABLISH CONDITIONS FOR RE-ENTRY OF COUNSEL AND TO PRESERVE FAIR TRIAL PROCEDURES |. INTRODUCTION Respondent moves the Court to establish prospective, neutral conditions that will apply only upon any future re-entry of counsel for Petitioner. This relief is sought to preserve procedural fairness, ensure orderly discovery, and protect the Court's docket from disruption caused by withdrawal and re-entry of counsel...
#182
2026-01-15
Respondent / Jason
Motion - Miscellaneous
Page 2
EXHIBIT_START
MOTION ESTABLISH CONDITIONS FOR RE-ENTRY OF COUNSEL_9FE87EA3.pdf
...sure & Certification (Automatic) Upon any re-entry of counsel for Petitioner, re-entering counsel shall, within 10 days, certify receipt and review of the full discovery record, all prior orders, and all pending discovery obligations. B. Automatic Continuance (Parity & Preparation) Upon re-entry, all trial and exhibit deadlines shall be automatically continued for 45-60 days (as the Court deems appropriate) to allow: 1. completion and cure of outstanding discovery; 2 supplementation necessitated by prior deficiencies; and 3. orderly trial preparation. C....
#182
2026-01-15
Respondent / Jason
Motion - Miscellaneous
Page 3
CERTIFICATE_OF_SERVICE
MOTION ESTABLISH CONDITIONS FOR RE-ENTRY OF COUNSEL_9FE87EA3.pdf
...of counsel for Petitioner. Respectfully submitted, 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 15, 2026, by electronic filing & email. JASON MCKEMIE o ABATEMENT, ENFORCEMENT COMPEL DISCOVERY/REINSTATE HEALTHCARE/RESTORE STATUS QUO DF-24-18010 3 0f 10 Copy from re:SearchTX
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2026-01-15
Respondent / Jason
Motion - Miscellaneous
Page 1
PLEADING_START_FILE_MARKED
MOTION ESTABLISH CONDITIONS FOR RE-ENTRY OF COUNSEL.pdf
1/15/2026 4:00 PM DALLAS CO., TEXAS NOTICE: DOCUMENT CONTAINS DF-24-18010 NO. SENSITIVE INFORMATION. MARRIAGE OF § § & § RESPONDENT'S MOTION TO ESTABLISH CONDITIONS FOR RE-ENTRY OF COUNSEL AND TO PRESERVE FAIR TRIAL PROCEDURES |. INTRODUCTION Respondent moves the Court to establish prospective, neutral conditions that will apply only upon any future re-entry of counsel for Petitioner. This relief is sought to preserve procedural fairness, ensure orderly discovery, and protect the Court's docket from disruption caused by withdrawal and re-entry of counsel...
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2026-01-15
Respondent / Jason
Motion - Miscellaneous
Page 2
EXHIBIT_START
MOTION ESTABLISH CONDITIONS FOR RE-ENTRY OF COUNSEL.pdf
...sure & Certification (Automatic) Upon any re-entry of counsel for Petitioner, re-entering counsel shall, within 10 days, certify receipt and review of the full discovery record, all prior orders, and all pending discovery obligations. B. Automatic Continuance (Parity & Preparation) Upon re-entry, all trial and exhibit deadlines shall be automatically continued for 45-60 days (as the Court deems appropriate) to allow: 1. completion and cure of outstanding discovery; 2 supplementation necessitated by prior deficiencies; and 3. orderly trial preparation. C....
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2026-01-15
Respondent / Jason
Motion - Miscellaneous
Page 3
CERTIFICATE_OF_SERVICE
MOTION ESTABLISH CONDITIONS FOR RE-ENTRY OF COUNSEL.pdf
...of counsel for Petitioner. Respectfully submitted, 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 15, 2026, by electronic filing & email. JASON MCKEMIE o ABATEMENT, ENFORCEMENT COMPEL DISCOVERY/REINSTATE HEALTHCARE/RESTORE STATUS QUO DF-24-18010 3 0f 10 Copy from re:SearchTX
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2026-01-14
Court
Proposed Order
Page 1
PROPOSED_ORDER_OR_ORDER
Pleadings 01-14-2026.pdf
...ON - TEMPORARY RESTRAINING ORDER.pc 13 1/8/2026 Filing PROPOSED ORDER/JUDGMENT ORDER ON EMERGENCY TRO PROPOSED ORDER/JUDGMENT.pdf 3 : 1/8/2026 Filing MISCELLANEOUS EVENT NOTICE OF VOL COMPLIANCE & OBJ TO POST-CUTOFF SI & NOTICE OF VOL COMPLIANCE & OBJ TO POST-CUT... : 1/6/2026 Hearing MOTION HEARING & NOTICE REGARDING ORDER FOR HEALTHCARE RE...1/5/2026 Filing 19 MISCELLANEOUS EVENT : 1/5/2026 Filing MOTION - LEAVE MOTION FOR LEAVE TO CONDUCT LIMITED POST-CUT... : 4 1/5/2026 Filing NOTICE OF FILING NOTICE OF PRIOR STANDING REQUEST FOR COURT REPI NOTICE PR...
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2026-01-12
Respondent / Jason
Application - Temporary Restraining Order
Page 4
CERTIFICATE_OF_COMPLIANCE
RESPONDENT'S EMERGENCY APPLICATION FOR TEMPORARY RESTRAINING ORDER_7476D473.pdf
...ner shall fully comply with these Orders by 2:00pm on the Date of Signing. Compliance includes tender of the required funds and filing written proof of compliance via ¢- file immediately upon completion. e Compliance requires immediately available funds (same-day wire or other real-time transfer). Initiation of an ACH or other delayed-settlement transfer does not constitute compliance. B. COERCIVE INCENTIVE FOR COMPLIANCE W/ DAILY ACCRUAL. e If Petitioner fails to fully complete the funds transfer by 2:00pm on the Date of Signing of this Order, e-file a...
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#173
2026-01-12
Respondent / Jason
Motion - Miscellaneous IN
Page 2
PLEADING_BODY
MOTION STAY PROPERTY RETRIEVAL DUE TO MEDICAL INCAPACITY_52A3AB61.pdf
...l shall be conducted exclusively by a neutral third party (bonded mover and/or neutral supervisor). Petitioner shall not personally enter the residence. Petitioner shall file a written, itemized list identifying each specific item sought, limited strictly to personal effects. Only items on the list may be removed. 5. DEFINED SCOPE; EXCLUDED CATEGORIES AND AREAS. EMERGENCY MOTION TO TEMPORARILY STAY 2of5 DF-24-18010 Copy from re:SearchTX
#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
...t's compliance, Petitioner later entered Respondent's private office contrary to Respondent's express request interacted with camera equipment, and accused Respondent of recording her without consent, placing Respondent at significant legal and personal risk. IV. PRAYER WHEREFORE, PREMISES CONSIDERED, Mr. McKemie respectfully requests that the Court grant the temporary stay requested herein or, in the alternative, impose the protective conditions set forth above, and grant such other and further relief as the Court deems just and proper. Respectfully sub...
#173
2026-01-12
Respondent / Jason
Motion - Miscellaneous IN
Page 7
PLEADING_BODY
MOTION STAY PROPERTY RETRIEVAL DUE TO MEDICAL INCAPACITY_52A3AB61.pdf
...ought. Retrieval is limited strictly to 6. Defined Scope; Excluded Categories and Areas. a. No person may remove documents, computers, electronics, storage media, safes, records, tools, office contents, fixtures, or any item not listed. b. Respondent shall move any remaining Petitioner belongings previously located in the downstairs office into a designated retrieval area. 1 or 2, which shall be used exclusively to store c. No entry is permitted into any offices on Floors Respondent's artifacts. 7. No Search; No Devices; No Recording. Retrieval shall be...
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2026-01-12
Respondent / Jason
Application - Temporary Restraining Order
Page 4
CERTIFICATE_OF_COMPLIANCE
FNL DF-24-18010 - MOTION - TRO.pdf copy.pdf
...ner shall fully comply with these Orders by 2:00pm on the Date of Signing. Compliance includes tender of the required funds and filing written proof of compliance via e- file immediately upon completion. • Compliance requires immediately available funds (same-day wire or other real-time transfer). Initiation of an ACH or other delayed-settlement transfer does not constitute compliance. B. COERCIVE INCENTIVE FOR COMPLIANCE W/ DAILY ACCRUAL. • If Petitioner fails to fully complete the funds transfer by 2:00pm on the Date of Signing of this Order, e-file a...
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#164
2026-01-12
Respondent / Jason
Motion - Miscellaneous
Page 5
FILING_STAMP_OR_ESERVICE
EMERGENCY MOTION ON MEDICAL HARM_8BE697F0.pdf
5. Reserve sanctions pending third-party production and set a compliance review date. F. Grant all other relief the Court deems just. PRAYER e WHEREFORE, PREMISES CONSIDERED, Respondent prays the Court grant the requested relief. Respectfully submitted, Son [KL Jason McKemie 539 W Commerce St., Ste. 2010, Dallas, TX 75208 (214) 868-4901 | jmckemie@mckemie.net 2026. Jason McKemie EMERGECY MOTION: MEDICAL HARMS & RESERVATION OF RIGHTS 5of5 DF-24-18010 Copy from re:SearchTX