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Stolen evidence / hard drives
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 2
EXHIBIT_START
Exhibit Map - Recusal Supplement.pdf
...umentation. Document includes descriptions of referencd materials for context. DANE PATCHING DECLARATION https://tinyurl.com/DestructionDeclaration A Independent witness evidence regarding April 16 aftermath, destructive handling, electronics and valuables near trash, camera/security damage, and Applicant not being the dangerous actor. APRIL 16 WRIT AFTERMATH / TIMELINE / PHOTOS / VIDEOS https://tinyurl.com/WritAftermath B Shows forced absence, timeline, prescription medication theft including heart medications, theft of approximately 60TB of litigation...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 10
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...d to create the appearance of authority at the precise moment her physical entry and removal of property were being challenged. V. PETITIONER’S RECORDED STATEMENT ABOUT “EVIDENCE” At approximately 2:57 p.m., Petitioner was captured on video speaking by phone with multiple outside resources. She stated that Applicant was at the courthouse, that he would probably return, and that she needed to hurry and “grab more of this evidence.” The clip then stopped. That statement matters. Petitioner did not describe the activity as retrieving ordinary personal items...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 11
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...components were left disconnected and unusable. The loss included professional, creative, litigation-related, and personal property central to Applicant’s livelihood and evidence preservation. VII. APPLICANT WAS FORCED TO LEAVE ESSENTIAL PROPERTY BEHIND When Applicant left, he told the constable that he needed to retrieve his hard drives, medication, checkbook, and papers near his printer. He was told there was no time and that he had to leave immediately if he wanted any chance to stop the writ. No reasonable person would voluntarily leave behind medica...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 14
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...moving arrangement through a close friend’s payment card, and personally participate in the removal of property confirms that the purpose was significant. The reason was evidence, control, and destabilization. XIV. CONCLUSION April 16 was not a move. It was not an ordinary writ execution. It was not a normal property retrieval. It was a coordinated entry, evidence seizure, property destruction event, and survival destabilization campaign. Applicant had warned the family court repeatedly that Petitioner would use a manufactured eviction, forced absence, o...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 49
FILING_STAMP_OR_ESERVICE
Exhibit Map - Recusal Supplement.pdf
on the date and to the persons listed below. The rules governing Envelope ID: 109910688 Filing Code Description: Affidavit Filing Description: AFFIDAVIT ON PUBLIC STORAGE THEFT ACCUSATIONS AND PETITIONERS ACQUISITION OF WEAPON DURING PROCEEDINGS Status as of 1/12/2026 3:43 PM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Jason McKemie jmckemie@mckemie.net 1/12/2026 4:12:09 AM SENT Gwendolyn Ulijasz McKemie GUlijasz@gmail.com 1/12/2026 4:12:09 AM SENT
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 138
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
• 07/11/2025 (Entry 83) — 66 pages — REQUEST FOR EMERGENCY HEARING TO PREVENT EVICTION DURING MEDICAL HARDSHIP WITH DECLARATION AND WITNESS STATEMENTS REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATION AND STATEMENTS • 07/24/2025 (Entry 99) — 5 pages — DECLARATION OF RESPONDENT'S DISASSOCIATION FROM BINDER INTRODUCED BY PETITIONER'S COUNSEL • 07/24/2025 (Entry 96) — 3 pages — ERRONEOUS PUBLIC FILING AND EMERGENCY MOTION TO SEAL PREVIOUSLY SUBMITTED DECLARATION • 11/25/2025 (Entry 134) — 6 pages — NOTICE OF FILING OF SWORN AF...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 140
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
• 07/16/2025 (Entry 86) — 75 pages — EMERGENCY M/PRESERVE EVIDENCE AND CONTINUE TRIAL DUE TO PROCEDURAL SABOTAGE AND BREAKDOWN IN JUDICIAL OVERSIGHT • 07/16/2025 (Entry 87) — 4 pages — TO SEEK DISPROPORTIONATE DIVISION OF MARITAL ESTATE NOTICE OF INTENT SEEK DISPROPORTIONATE DIVISION OF • 07/17/2025 (Entry 85) — 5 pages — ORDER GRANTING M/SANCTIONS AND REFERRAL PROPOSED MOTION SANCTION FOR AGGRAVATED PERJURY AND FRAUD UPON THE OCURT AGAINST • 07/17/2025 (Entry 88) — 2 pages — EMERGENCY NOTICE OF COUNSEL MISCONDUCT, PRIOR COMMUNICATIONS, AND DEMAND FOR IM...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 144
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
• 12/19/2025 (Entry 140) — 4 pages — NOTICE REGARDING OF HEALTH COVERAGE, QUALIFYING LIFE EVENT AND REQUEST FOR LEAVE TO ISSUE SUBPOENA TO EMPLYER HR NOTICE REGARDING OF HEALTH COVERAGE, QUALIFYING LIFE EVENT AND REQUEST FOR LEAVE TO ISSUE SUBPOENA • 12/22/2025 (Entry 147) — 2 pages — TEMPORARY RESTRAINING ORDER PROPOSED ORDER/JUDGMENT • 12/23/2025 (Entry 148) — 2 pages — TEMPORARY RESTRAINING ORDER HEALTHCARE REINSTATEMENT & CONTINUITY PROPOSED ORDER/JUDGMENT • 12/23/2025 (Entry 149) — 2 pages — ORDER GRANTING LEAVE TO SERVE SUBPOENAS PROPOSED ORDER GRA...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 150
EXHIBIT_CONTINUATION
Exhibit Map - Recusal Supplement.pdf
...FAIR TRIAL 8. EVICTION / HOUSING STABILITY 2025 • 06/24/2025 (Entry 66) — 8 pages — EMERGENCY MOTION FOR TEMPORARY FINANCIAL RELIEF DUE TO IMMINENT HOUSING LOSS, MEDICAL HARDSHIP EMERGENCY M/FINANCIL • 07/10/2025 (Entry 77) — 1 page — ORDER GRANTING EMERGENCY MOTION TO STAY EXECUTION OF WRIT OF POSSESSION PROPOSED ORDER/JUDGMENT • 07/11/2025 (Entry 83) — 66 pages — REQUEST FOR EMERGENCY HEARING TO PREVENT EVICTION DURING MEDICAL HARDSHIP WITH DECLARATION AND WITNESS STATEMENTS REQUEST FOR ER HEARING TO PREVENT EVICTION DURING MED. HARDSHIP WITH DECLARATI...
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2026-06-16
Respondent / Jason
Notice Of Filing
Page 151
EXHIBIT_START
Exhibit Map - Recusal Supplement.pdf
VIDEO INDEX OF APRIL 16, 2026, COORDINATED CLEAN-OUT EXHIBIT V & DESTRUCTION OF THE MARITAL ESTATE EXHIBIT DATE TIME EVENT ID. EVIDENCE / EXHIBITS Respondent left the residence to go to court after identifying defective service and attempting to stop 2:37PM the writ. Respondent closed the garage before leaving. https://tinyurl.com/RushedOut (2) Individual's contracted by Petitioner, drove backwards down the alleyway and backed into back driveway with hatch back the garage within 2min. As they backed in, the garage door was opened 2:39PM from the inside....
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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
...erified recusal, omits any Rule 18a ruling, omits any referral order, omits any good-cause finding, or converts Jason’s medical incapacity, lack of remote bridge access, stolen evidence, and inability to safely appear into post-answer default. V. REQUEST FOR IMMEDIATE CLERK DELIVERY AND WRITTEN STATUS Jason respectfully requests that the Clerk immediately deliver this notice, the June 11, 2026, verified recusal motion, the emergency supplement, and the supplemental exhibit map to: 1. the respondent judge; 2. the regional presiding judge or assigned judge...
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2026-06-15
Respondent / Jason
Motion - Recuse
Page 2
PLEADING_BODY
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
...ng. This Supplement is submitted to prevent the Court from converting a record manufactured through healthcare obstruction, financial sabotage, false destitution claims, stolen evidence, property destruction, discovery obstruction, witness suppression, false criminal escalation, and a documented malicious-litigation pattern into a final judgment. I. EMERGENCY RELIEF REQUESTED 1. Issue a written ruling on Recusal No. 3 and this Supplement before rendition, signature, entry, transmission, enforcement, fee awards, sanctions, or decree-related action. 2.Stay...
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2026-06-15
Respondent / Jason
Motion - Recuse
Page 3
PLEADING_BODY
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
...tors, or anyone acting with or for her from accessing, inspecting, imaging, copying, using, relying on, benefiting from, or receiving any derivative benefit from Jason's stolen hard drives, evidence repositories, trial binders, Apple devices, computers, records, tools, briefcase, passport, medications, or seized litigation materials. 5. Require third-party source verification before any decree is signed or enforced, including healthcare/HSA/FSA/OLE/COBRA records, Accenture benefit/payroll records, SAPD/Dallas police records, writ/constable/bodycam/dashca...
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2026-06-15
Respondent / Jason
Motion - Recuse
Page 8
EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
Xl. SAPD RECORDS SHOW FALSE-REPORTING ESCALATION AND STOLEN-PROPERTY NARRATIVE SAPD Report No. SAPD26106749 records Petitioner attempting to frame Jason's HSA/benefit-access efforts as fraud. The officer told her it did not appear Jason was attempting to impersonate her, that Jason was authorized on the account, and that no criminal conduct appeared from the benefits-access conduct. The same report records that Petitioner then escalated into a statement that Jason drugged and raped her in 2024 while declining to make a sexual-assault report. SAPD Report...
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2026-06-15
Respondent / Jason
Motion - Recuse
Page 9
EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
...Jason could not access to save his own property. This was not ordinary moving. It was a hostile takeover of the residence under the cover of a manufactured writ. Xlill. STOLEN PROPERTY, COMPUTER HARDWARE, AND ASSET DESTRUCTION There is no meaningful division of assets in the proposed decree if Petitioner can first steal, destroy, remove, or control Jason's property and then claim that everything in the house was hers or subject to her narrative. Jason's monitors, televisions, computers, hardware, home-studio equipment, tools, hard drives, trial binders,...
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2026-06-15
Respondent / Jason
Motion - Recuse
Page 10
EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
Those stolen hard drives and evidence repositories are Jason's separate property and stolen evidence. Petitioner, her counsel, experts, vendors, investigators, agents, contractors, and anyone acting with or for her must not be permitted to access, inspect, image, copy, use, rely upon, authenticate, test, review, receive, or benefit from those materials in any way. The only permissible relief is preservation of Jason's rights, categorical non-access, categorical non-use, sequestration away from Petitioner and her agents, and return to Jason. XV. ADDRESS C...
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2026-06-15
Respondent / Jason
Motion - Recuse
Page 12
EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
Jason cannot leave this litigation without enforceable protection against knowingly false criminal allegations, stolen-property-based accusations, healthcare interference, and witness suppression. Without intervention, this does not end. XIX. THE RECORD HAS BEEN SCREAMING FOR EIGHTEEN MONTHS The issue before the Court is no longer whether the parties disagree. The issue is whether this record can honestly be described as ordinary. This record contains more than 120 pleadings, more than 1,400 pages of filings, repeated requests for a court reporter, repea...
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2026-06-15
Respondent / Jason
Motion - Recuse
Page 13
EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
...STED BEFORE ANY DECREE ACTION testimony was taken, or trial evidence was received. 7. The Court has been notified that Jason's trial readiness was materially impaired by stolen hard drives, stolen evidence repositories, stolen trial materials, stolen Apple devices, stolen paper records, stolen work product, stolen or destroyed computers, stolen tools, stolen client hardware, stolen passport/medication-related items, and destruction of property. 8. The Court has been notified that Petitioner's proposed marital timeline is contradicted by sealed in-camera...
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2026-06-15
Respondent / Jason
Motion - Recuse
Page 14
EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY SUPPLEMENT TO PENDING RECUSAL_DE538026.pdf
...al property division; 19.orderpreservation,sequestrationawayfromPetitionerandheragents,categorical non-use, categorical non-access, and categorical non-benefit as to all stolen evidence, stolen hard drives, stolen records, stolen Apple devices, stolen computers, stolen trial binders, and stolen property; 20. deny in full Petitioner's request for fees, expenses, sanctions, costs, protective expenses, expert/vendor expenses, or fee shifting against Jason; 21.allowJasontosubmitMcNally'ssworntestimonyorunsworndeclarationandsupplemental exhibit pinpoints befo...
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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
healthcare/OQLE/HSA/FSA issues, stolen-evidence issues, source-record issues, de novo/trial- readiness issues, and non-waiver issues identified below. Respondent will supplement exhibits and supporting records as soon as available. Respondent requests that emergency relief not be denied or delayed solely because exhibits are being supplemented on an emergency rolling basis due to Respondent's medical collapse, financial collapse, lack of phone service, lack of funds, stolen trial materials, stolen hard drives, stolen evidence repositories, and lack of me...
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2026-06-12
Respondent / Jason
Objections - Misc
Page 5
EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS_55158B69.pdf
...al to dispose of Respondent's recusal objection, medical-incapacity objection, no-bridge objection, de novo request, healthcare/OLE/HSA/FSA issues, source-record issues, stolen-evidence issues, Rule 204 request, financial-relief requests, sanctions requests, civil-claim preservation, attorney- misconduct issues, criminal-referral issues, or any other pending threshold matter without identifying those matters and making written rulings. Respondent requests that the Court decline to sign Petitioner's proposed decree, withhold entry, set aside any oral rend...
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2026-06-12
Respondent / Jason
Objections - Misc
Page 6
EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS_55158B69.pdf
Respondent objects to any decree that rewards Petitioner's theft, evidence theft, hard-drive theft, stolen legal work product, stolen trial materials, stolen healthcare records, stolen financial records, stolen device evidence, and manufactured law-enforcement narratives. Respondent further objects to any decree that permits Gwendolyn Laura Ulijasz, her counsel, experts, vendors, investigators, agents, contractors, or anyone acting with or for her to access, inspect, image, copy, test, review, rely on, use, disclose, control, receive, use derivatively, u...
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2026-06-12
Respondent / Jason
Objections - Misc
Page 8
EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS_55158B69.pdf
...ney, no medication money, no working phone service, no available credit, no loans, no stable housing, no litigation funding, no printer, no trial materials, no access to stolen evidence repositories, and no ability to meaningfully participate unless emergency financial and litigation-access relief is entered. Respondent's financial collapse is not waiver. It is the result of Petitioner's financial strangulation, healthcare obstruction, source-record concealment, evidence theft, hard-drive theft, legal-work-product theft, trial-material theft, manufacture...
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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
...ondent is medically collapsed, financially collapsed, without working phone service, without gas, without food, without medication money, without stable housing, without stolen trial materials, without stolen hard drives, 10 of 14 Copy from re:SearchTX
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2026-06-12
Respondent / Jason
Objections - Misc
Page 11
EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS_55158B69.pdf
without stolen evidence repositories, and without meaningful litigation infrastructure because of the manufactured collapse described in Respondent's filings. IX. NON-WAIVER Respondent does not waive any objection, claim, defense, request, relief, sanctions request, contempt request, mandamus issue, appellate issue, civil claim, criminal-referral issue, attorney-misconduct issue, healthcare-obstruction issue, source-record issue, stolen-evidence issue, financial-sabotage issue, false-reporting issue, digital-intrusion issue, Rule 204 issue, protective-re...
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2026-06-12
Respondent / Jason
Objections - Misc
Page 12
EXHIBIT_CONTINUATION
RESPONDENT'S EMERGENCY OBJECTION TO PROPOSED FINAL DECREE, NOTICE OF RECUSAL & MANDAMUS_55158B69.pdf
...rified pre-evidence recusal motion under Rule 18a; 7. rule on Respondent's emergency filings, medical-incapacity objections, no-bridge objections, healthcare objections, stolen-evidence objections, source-record objections, de novo/trial-readiness objections, Rule 204 issues, financial- stabilization requests, access-to-counsel requests, sanctions requests, non-waiver filings, and proposed order; 8 . deny in full any request for fees, costs, sanctions, expert expenses, vendor expenses, protective expenses, discovery expenses, or cost shifting against Res...
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2026-06-11
Respondent / Jason
Motion - Recuse
Page 1
PLEADING_START_FILE_MARKED
VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL_8A0E2F01.pdf
...tedly tried to give the Court the opportunity to cure structural defects before seeking recusal. That procedural structure is no longer workable. Trial is set today, the stolen evidence remains unavailable, healthcare remains unresolved, source records remain concealed, Respondent is medically and financially collapsed, and once trial evidence begins Respondent's recusal rights and due-process objections may be materially impaired. begins trial mechanics. At prior trial settings, proceedings moved immediately toward witness calls and evidence. Respondent...
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2026-06-11
Respondent / Jason
Motion - Recuse
Page 2
PLEADING_BODY
VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL_8A0E2F01.pdf
...e legal basis and good cause on the record before any evidence is offered. 4. Preservation of Respondent's objections, including recusal, mandamus, de novo, due process, stolen-evidence, healthcare, discovery, source-record, financial-relief, trial-readiness, and appellate complaints. 5. Interim ancillary protection prohibiting Gwendolyn Laura Ulijasz, her counsel, experts, vendors, investigators, agents, contractors, and anyone acting with or for her from having any access to, contact with, use of, control over, disclosure of, alteration of, deletion of...
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2026-06-11
Respondent / Jason
Motion - Recuse
Page 3
PLEADING_BODY
VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL_8A0E2F01.pdf
A reasonable person could question impartiality where the case is forced to final trial despite known structural impossibility, stolen evidence repositories, stolen hard drives, stolen trial materials, unavailable source financial records, unresolved healthcare/OLE records, unresolved de novo/trial- readiness issues, rejected or unresolved adequate-trial-time requests, and Respondent's present inability to safely appear or present evidence. NEW MATERIAL FACTS SINCE THE PRIOR RECUSAL PROCEEDINGS Since the prior recusal proceedings, Petitioner unlawfully e...
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2026-06-11
Respondent / Jason
Motion - Recuse
Page 4
PLEADING_BODY
VERIFIED MOTION TO RECUSE AND REQUEST FOR REFERRAL_8A0E2F01.pdf
...be forced to final adjudication regardless of whether the estate can be reconstructed, whether healthcare compliance has occurred, whether source records exist, whether stolen evidence is returned, and whether Respondent can meaningfully present evidence. Page 4 of 6 Copy from re:SearchTX
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2026-06-11
Respondent / Jason
Miscellaneous Event
Page 3
EXHIBIT_START
SUPPLEMENTAL EMERGENCY FILING_07490B53.pdf
...ted hospitalization, homelessness, disconnected phone service, lack of gas resources, unsafe transportation after a recent wreck, broken laptop screen, lack of evidence, stolen hard drives, stolen evidence repositories, stolen trial materials, stolen printer, stolen printer ink, stolen binders, stolen medications, and the manufactured collapse already described in Respondent's emergency filings. Respondent requests that the Court immediately halt any proceeding and rule on: 1. Respondent's Verified Motion to Recuse; 2. Respondent's Verified Emergency Mot...
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2026-06-11
Respondent / Jason
Notice Of Filing
Page 2
PLEADING_BODY
NOTICE OF NON-WAIVER OF SANCTIONS, CIVIL CLAIMS, ATTORNEY MISCONDUCT CLAIMS, AND OBJECTION_2BE3851C.pdf
...r evidence, and abuse of protective-order process; 3. Fraudulent evidence submissions, fabricated evidence, altered evidence, false exhibits, and use or attempted use of stolen evidence; 4. Perjury, aggravated perjury, coordinated aggravated perjury, false sworn testimony, false declarations, and false representations to the Court; 5. Malicious prosecution, malicious use of process, and malicious continuation of proceedings, where legally available; 6. Abuse of process, itigation abuse, procedural sabotage, and use of court process to financially, medica...
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2026-06-11
Respondent / Jason
Notice Of Filing
Page 4
PLEADING_BODY
NOTICE OF NON-WAIVER OF SANCTIONS, CIVIL CLAIMS, ATTORNEY MISCONDUCT CLAIMS, AND OBJECTION_2BE3851C.pdf
NO WAIVER OF STOLEN-EVIDENCE CLAIMS Respondent does not waive any claim, objection, sanction request, contempt request, exclusion request, preservation request, or civil claim arising from Petitioner's theft of Respondent's hard drives, evidence repositories, binders, paper files, legal work product, printer, printer ink, trial materials, medications, device evidence, Apple evidence, financial records, medical records, and itigation equipment. This was theft. No softer label applies. Petitioner unlawfully entered a residence she was barred from entering,...
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2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 1
PLEADING_START_FILE_MARKED
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
...E APPEARANCE; REQUEST FOR DE NOVO TRIAL-READINESS HEARING; REQUEST FOR HEALTHCARE PRESERVATION, TEMPORARY FINANCIAL RELIEF, COURT REPORTER, NON-WAIVER, AND PROTECTION OF STOLEN EVIDENCE TO THE HONORABLE COURT: Respondent, Jason McKemie, files this Verified Emergency Motion before any final trial evidence is taken on June 11,2026. From this point forward, Jason McKemie is referred to as Respondent. This is not a request for delay. It is an emergency request to stop a final trial from being conducted after a manufactured collapse that has destroyed Respond...
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2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 2
PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
...D/Dallas/constable records, U-Haul/payment records, Apple/device records, Blink/Google/Facebook/Dropbox/cloud-access records, and vendor/payment records. 9. Preserve all stolen hard drives, evidence repositories, legal work product, binders, paper files, printer, printer ink, itigation equipment, financial records, medical records, device evidence, Apple TV/device evidence, SAPD records, Dallas records, constable records, U- Haul/payment records, third-party payment records, security-camera footage, text messages, audio, video, cloud logs, and external c...
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2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 3
PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
...lings, prior court-reporter requests, and prior recusal history. physical collapse because the catastrophe Respondent warned about has now happened. Petitioner stole the evidence, stole the supplies, stole the printer, stole the hard drives, stole the legal work product, obstructed healthcare, kept the financial universe concealed, and now seeks final trial while Respondent is medically unstable, homeless, phoneless, bankrupt, without safe transportation, without a functioning laptop screen, without printer access, without trial materials, and without th...
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2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 4
PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
...tal-estate obligations with no income, no counsel, no survival funds, and no functional ability to pay for housing, food, medical care, transportation, litigation costs, evidence, or recovery. That was not ordinary financial stress. It was an orchestrated financial ambush. FINANCIAL STRANGULATION AND CURRENT SURVIVAL COLLAPSE Petitioner's financial strangulation has become absolute. Respondent is homeless, in bankruptcy, without phone service, without money for gas, without money for food, without money for medication, without money for parking, without...
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2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 5
PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
...t's vehicle is in repossession status and unsafe. Respondent cannot safely drive four hours without phone service, gas money, headlights, parking funds, trial materials, evidence repositories, or medical stability. Respondent's parents are now also in bankruptcy. Respondent understands their separate claims may belong in separate civil litigation, but the collapse of two generations is relevant to the severity, foreseeability, and scope of Petitioner's financial sabotage and to the Court's assessment of temporary relief, fee denial, sanctions, trial read...
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2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 6
PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
...and medical care that Petitioner's healthcare obstruction already delayed. Final trial today would reward healthcare obstruction and place Respondent's survival at risk. EVIDENCE THEFT, NOT A PROPERTY DISPUTE Petitioner was not authorized to enter the residence. She was barred from entering and had been repeatedly identified as a risk for theft, destruction, manufactured allegations, law- enforcement escalation, and evidence sabotage. This was theft. Petitioner unlawfully entered a residence she was barred from entering, stole Respondent's hard drives, s...
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2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 7
PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
Petitioner stole Respondent's Apple TV/device evidence and then used or attempted to use that stolen device to manufacture a false stalking/surveillance narrative with San Antonio Police a false accusation against Department. A device stolen from Respondent was turned into Respondent. Respondent's police reports and report numbers regarding the Dallas theft were stolen from his desk. Respondent has requested open records but has not had time to receive them before today's trial. SOURCE FINANCIAL RECORDS AND HEALTHCARE RECORDS REMAIN UNAVAILABLE The finan...
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2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 8
PLEADING_BODY
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
...impossibility - not waiver. Respondent preserves mandamus, appeal, de novo, recusal, due-process, discovery, healthcare, source-record, financial-relief, court-reporter, stolen-evidence, and trial-readiness complaints. REQUEST Respondent requests that the Court grant the relief requested above, abate, stay, or continue trial, preserve healthcare, preserve stolen evidence, prohibit Petitioner and her agents from accessing or benefiting from stolen evidence, authorize source-record subpoenas, permit remote appearance, deny all fee shifting against Responde...
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2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 9
CERTIFICATE_OF_SERVICE
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
UNSWORN DECLARATION OF JASON MCKEMIE My name is Jason McKemie. My date of birth is April 8, 1976. My address is 539 W. Commerce St., Ste. 2010, Dallas, Texas 75208. | declare under penalty of perjury that the factual statements in this Verified Emergency Motion are true and correct based on my personal knowledge, documents, videos, audio, court filings, records reviewed by me, and matters stated on information and belief where the basis for that belief is identified. Executed in Texas on June 11,2026. Jason McKemie and/or email on June11,2026. Jason McKe...
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2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 10
FILING_STAMP_OR_ESERVICE
EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL_F9183942.pdf
on the date and to the persons listed below. The rules governing Envelope ID: 116028476 Filing Code Description: Motion - Miscellaneous Filing Description: VERIFIED EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL Status as of 6/12/2026 8:58 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Rebecca LArmstrong rebecca@armstronglawtexas.com 6/11/2026 1:17:47 PM SENT Terra Aguirre terra@armstronglawtexas.com 6/11/2026 1:17:47 PM SENT Lauren N.Shaw lauren@armstronglawtexas.com 6/11/2026 1:17:47 PM SENT Jason McKemie jmckemie@mckemie.net 6/...
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2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 1
PLEADING_START_FILE_MARKED
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
...E APPEARANCE; REQUEST FOR DE NOVO TRIAL-READINESS HEARING; REQUEST FOR HEALTHCARE PRESERVATION, TEMPORARY FINANCIAL RELIEF, COURT REPORTER, NON-WAIVER, AND PROTECTION OF STOLEN EVIDENCE TO THE HONORABLE COURT: Respondent, Jason McKemie, files this Verified Emergency Motion before any final trial evidence is taken on June 11, 2026. From this point forward, Jason McKemie is referred to as Respondent. This is not a request for delay. It is an emergency request to stop a final trial from being conducted after a manufactured collapse that has destroyed Respon...
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2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 2
PLEADING_BODY
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
...D/Dallas/constable records, U-Haul/payment records, Apple/device records, Blink/Google/Facebook/Dropbox/cloud-access records, and vendor/payment records. 9. Preserve all stolen hard drives, evidence repositories, legal work product, binders, paper files, printer, printer ink, litigation equipment, financial records, medical records, device evidence, Apple TV/device evidence, SAPD records, Dallas records, constable records, U- Haul/payment records, third-party payment records, security-camera footage, text messages, audio, video, cloud logs, and external...
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2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 3
PLEADING_BODY
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
...lings, prior court-reporter requests, and prior recusal history. physical collapse because the catastrophe Respondent warned about has now happened. Petitioner stole the evidence, stole the supplies, stole the printer, stole the hard drives, stole the legal work product, obstructed healthcare, kept the financial universe concealed, and now seeks final trial while Respondent is medically unstable, homeless, phoneless, bankrupt, without safe transportation, without a functioning laptop screen, without printer access, without trial materials, and without th...
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2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 4
PLEADING_BODY
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
...tal-estate obligations with no income, no counsel, no survival funds, and no functional ability to pay for housing, food, medical care, transportation, litigation costs, evidence, or recovery. That was not ordinary financial stress. It was an orchestrated financial ambush. FINANCIAL STRANGULATION AND CURRENT SURVIVAL COLLAPSE Petitioner’s financial strangulation has become absolute. Respondent is homeless, in bankruptcy, without phone service, without money for gas, without money for food, without money for medication, without money for parking, without...
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2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 5
PLEADING_BODY
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
...t’s vehicle is in repossession status and unsafe. Respondent cannot safely drive four hours without phone service, gas money, headlights, parking funds, trial materials, evidence repositories, or medical stability. Respondent’s parents are now also in bankruptcy. Respondent understands their separate claims may belong in separate civil litigation, but the collapse of two generations is relevant to the severity, foreseeability, and scope of Petitioner’s financial sabotage and to the Court’s assessment of temporary relief, fee denial, sanctions, trial read...
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2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 6
PLEADING_BODY
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
...and medical care that Petitioner’s healthcare obstruction already delayed. Final trial today would reward healthcare obstruction and place Respondent’s survival at risk. EVIDENCE THEFT, NOT A PROPERTY DISPUTE Petitioner was not authorized to enter the residence. She was barred from entering and had been repeatedly identified as a risk for theft, destruction, manufactured allegations, law- enforcement escalation, and evidence sabotage. This was theft. Petitioner unlawfully entered a residence she was barred from entering, stole Respondent’s hard drives, s...
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2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 7
PLEADING_BODY
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
Petitioner stole Respondent’s Apple TV/device evidence and then used or attempted to use that stolen device to manufacture a false stalking/surveillance narrative with San Antonio Police Department. A device stolen from Respondent was turned into a false accusation against Respondent. Respondent’s police reports and report numbers regarding the Dallas theft were stolen from his desk. Respondent has requested open records but has not had time to receive them before today’s trial. SOURCE FINANCIAL RECORDS AND HEALTHCARE RECORDS REMAIN UNAVAILABLE The finan...
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2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 8
PLEADING_BODY
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
...impossibility - not waiver. Respondent preserves mandamus, appeal, de novo, recusal, due-process, discovery, healthcare, source-record, financial-relief, court-reporter, stolen-evidence, and trial-readiness complaints. REQUEST Respondent requests that the Court grant the relief requested above, abate, stay, or continue trial, preserve healthcare, preserve stolen evidence, prohibit Petitioner and her agents from accessing or benefiting from stolen evidence, authorize source-record subpoenas, permit remote appearance, deny all fee shifting against Responde...
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2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 9
CERTIFICATE_OF_SERVICE
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
UNSWORN DECLARATION OF JASON MCKEMIE My name is Jason McKemie. My date of birth is April 8, 1976. My address is 539 W. Commerce St., Ste. 2010, Dallas, Texas 75208. I declare under penalty of perjury that the factual statements in this Verified Emergency Motion are true and correct based on my personal knowledge, documents, videos, audio, court filings, records reviewed by me, and matters stated on information and belief where the basis for that belief is identified. Executed in Texas on June 11, 2026. __________________________________ Jason McKemie and...
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2026-06-11
Respondent / Jason
Motion - Miscellaneous
Page 10
FILING_STAMP_OR_ESERVICE
005 - DF-24-18010_FINAL_Emergency_Motion_Manufactured_Collapse_2026-06-11.pdf
on the date and to the persons listed below. The rules governing Envelope ID: 116028476 Filing Code Description: Motion - Miscellaneous Filing Description: VERIFIED EMERGENCY MOTION TO ABATE, STAY OR CONTINUE TRIAL Status as of 6/12/2026 8:58 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Rebecca LArmstrong rebecca@armstronglawtexas.com 6/11/2026 1:17:47 PM SENT Terra Aguirre terra@armstronglawtexas.com 6/11/2026 1:17:47 PM SENT Lauren N.Shaw lauren@armstronglawtexas.com 6/11/2026 1:17:47 PM SENT Jason McKemie jmckemie@mckemie.net 6/...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 3
PLEADING_BODY
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
...OQLE/benefits issues, HSA/FSA functionality, medical reimbursement control, and administrator access. 12.The denial or failure to address April 16, 2026 evidence theft, stolen hard drives, stolen evidence repositories, stolen devices, stolen litigation files, stolen financial records, stolen trial-preparation materials, stolen medical/legal records, stolen professional records, stolen electronics, stolen music/studio equipment, stolen medication, stolen safes/briefcases, and the resulting chain-of-custody crisis. 13.The denial or failure to order catego...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 4
PLEADING_BODY
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
...d Jonathan Drake Steele. 19.The denial or failure to address trial-readiness defects created by incomplete financial production, blocked source-record subpoenas, missing/stolen evidence repositories, unresolved healthcare access, lack of functional litigation infrastructure, and unresolved witness-protection issues. 20.Any finding, conclusion, recommendation, refusal, or omission that permits the June 11,2026trial to proceed before the District Judge conducts de novo review and before source-record verification, stolen-evidence relief, healthcare enforce...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 7
EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
...oner, counsel, experts, vendors, contractors, agents, or anyone acting for her to access, use, inspect, image, copy, review, disclose, rely upon, or benefit from Jason's stolen hard drives, evidence repositories, source files, litigation materials, or derivative materials; 11 .permits trial to proceed before de novo review and before the District Judge resolves trial-readiness defects. VI. REQUEST TO CONTINUE OR ABATE JUNE11,2026, TRIAL PENDING DE NOVO REVIEW Trial is presently set for June 11, 2026. The District Judge cannot conduct meaningful de novo r...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 9
EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
...factual basis for any representation of completeness; 11.APPOINTacourt-appointedforensicaccountanttoreconstructtheestatefromthird- party financial source records and non-stolen financial records only. Nothing in this request permits Petitioner, counsel, experts, vendors, agents, or anyone acting for her to access, inspect, image, copy, use, or benefit from Jason McKemie's stolen hard drives, evidence repositories, source files, litigation materials, or derivative materials; 12.ORDER that Petitioner, her counsel, experts, vendors, contractors, movers, sec...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 12
EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
...nce and argument concerning enforcement, sanctions, continuance, third-party subpoena leave, source-record verification, healthcare enforcement, trial-readiness defects, stolen evidence repositories, and Petitioner's protective-order and fee/protective- expense requests. 7. When attempted to present evidence concerning written email communications between me and Petitioner's former counsel, Petitioner's counsel repeatedly | was attempting to identify, authenticate, objected on hearsay grounds, even though and present opposing counsel's own written commun...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 26
EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
...vant's hard drives, itigation evidence, financial records, trial materials, GPUs, network storage, music studio equipment, medication, and livelihood infrastructure. The stolen hard drives were Movant's separate property owned before the marriage. Those stolen hard drives contained: 1. Seventeen months of exhibits; 2. Financial reconstruction work; 3. Discovery materials; 4. Records prepared for production; 5. Trial preparation; 6. Accenture-related contribution evidence: DF-24-18010 Motion for Enforcement, Sanctions, Continuance, & Leave Page 11 of 17 C...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 28
EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
...14. Jetty Partners; 15. Decisive Resources; 16.Anycontractorinvolvedinplanning,funding,booking,executing,transporting,receiving, storing, accessing, using, or concealing stolen property; and 17.Any person or entity with records concerning stolen hard drives, devices, GPUs, network storage, music studio equipment, medication, financial records, litigation records, safes, briefcases, or other stolen property. The purpose is source verification, chain of custody, preservation, and trial readiness. XIV. VEIP FRAUD, TAX FRAUD, LEASE FRAUD, LOAN FRAUD, QLE FRA...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 29
EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
...ndlord, constable, and chain-of-custody records. The Court cannot require Movant to defend against Petitioner's financial narrative after Petitioner stole his litigation hard drives and financial reconstruction materials. 11 without third-party source records would reward obstruction Proceeding to trial on June and punish the party seeking verification. DF-24-18010 Motion for Enforcement, Sanctions, Continuance, & Leave Page 14 of 17 Copy from re:SearchTX
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 54
EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
...bmit a Qualifying Life Event terminating coverage before a scheduled surgery. e Aperson genuinely seeking protection does not report a Health Savings Account card ost or stolen while the other party is hospitalized and actively seeking medical treatment. e Aperson genuinely seeking protection does not register AirTags to her own phone and iCloud account and later present those same devices as evidence that someone else was tracking her. e Apperson genuinely seeking protection does not request that surveillance cameras remain active so property retrieval...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 60
EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
...tion records, trial materials, medical/legal records, computer equipment, GPUs, network storage, music studio equipment, medication, and livelihood infrastructure. Those stolen hard drives were Jason's separate property owned before the marriage. 9 of 110 DF-24-18010 Reply in Support of Enforcement, Sanctions, Continuance, and Leave Copy from re:SearchTX
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 61
EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
...materials, technical work, and evidence necessary to rebut Petitioner's false non-contributor narrative. Petitioner then attempted to transform her possession of Jason's stolen property into a victim narrative. She stole devices and property from Jason's residence, took them to her own residence or into her control, and then treated the presence/location of Jason's devices as evidence that Jason was stalking her. If Petitioner does not want Jason's Apple TV, AirTags, electronics, or device identifiers appearing in her house, she should stop stealing Jaso...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 62
EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
...rt medication and surgical care. e Jason has been forced into bankruptcy. e Jason is facing loss of transportation. e Jason has had his residence destroyed, his property stolen, his hard drives stolen, his evidence repositories stolen, his tools stolen, and his ability to litigate crippled. Now Petitioner asks him to pay her fees because he demanded the books. No. Petitioner's request for attorney's fees, costs, protective expenses, expert/vendor expenses, and any cost shifting against Jason should be denied in full. No later prove-up. No reservation. No...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 64
EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
...ds. Nothing in this request permits Petitioner, counsel, experts, vendors, agents, or anyone acting for her to access, inspect, image, copy, use, or benefit from Jason's stolen hard drives or evidence repositories. XII. THE COURT SHOULD NOT CONVERT OBSTRUCTION INTO FINAL JUDGMENT. Petitioner wants the Court to proceed to trial while the estate cannot be reconstructed. That would reward obstruction. A final trial without source records would force Jason to defend against a financial narrative built from missing statements, rotated accounts, unexplained ov...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 65
EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
...basis for any representation of completeness; 9. APPOINT a neutral court-appointed forensic accountant to reconstruct the estate from third- party source records and non-stolen financial records, with fees advanced or paid by Petitioner and/or responsible counsel as sanctions, fee shifting, or discovery-cure expenses; 10. PRESERVE and SET FOR HEARING Jason McKemie's requests for fraud-on-the-community findings, fraud-upon-the-Court findings, estate reconstitution under Texas Family Code § 7.009, disproportionate division under Texas Family Code § 7.001,...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 77
EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
e 07/24/2025 (Entry96) 3pages ERRONEOUS PUBLIC FILING AND EMERGENCY MOTION TO SEAL PREVIOUSLY SUBMITTED DECLARATION - CORRECTING FALSE e 11/25/2025 (Entry 134) 6pages NOTICE OF FILING OF SWORN AFFIDAVIT RECORDING ALLEGATIONS AND EX PARTE PREJUDICE 2026 01/12/2026 (Entry 176) 8 pages AFFIDAVIT ON PUBLIC STORAGE THEFT ACCUSATIONS AND PETITIONERS ACQUISITION OF WEAPON DURING PROCEEDINGS AFFIDAVIT ON PUBLIC STORAGE THEFT ACCUSATIONS AND PETITIONERS ACQUISITION OF WEAPON DURING PROCEEDIN 01/12/2026 (Entry 166) 4 pages AFFIDAVIT ON MANUFACTURED ALLEGATIONS & C...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 79
EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
...ges ORDER GRANTING M/SANCTION AND REFERRAL PROPOSED MOTION SANCTION FOR AGGRAVATED PERJURY AND FRAUD UPON THE COURT e 07/16/2025 (Entry 86) 75 pages EMERGENCY M/PRESERVE EVIDENCE AND CONTINUE TRIAL DUE TO PROCEDURAL SABOTAGE AND BREAKDOWN IN JUDICIAL OVERSIGHT e 07/16/2025 (Entry 87) 4pages TO SEEK DISPROPORTIONATE DIVISION OF MARITAL ESTATE NOTICE OF INTENT SEEK DISPROPORTIONATE DIVISION OF e 07/17/2025 (Entry 85) 5pages ORDER GRANTING M/SANCTIONS AND REFERRAL PROPOSED MOTION SANCTION FOR AGGRAVATED PERJURY AND FRAUD UPON THE OCURT AGAINST e 07/17/2025...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 84
EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
2026 01/02/2026 (Entry 154) 10 pages NOTICE REGARDING ORDER FOR HEALTHCARE REINSTATEMENT AND IMMINENT ESCALATION DUE TO MEDICAL NECESSITY AND NON-COMPLIANCE NOTICE REGARDING ORDER FOR HEALTHCARE REINSTATEMENT AND IMMINENT ESCALATION DUE TO MEDICAL NECESSITY 01/08/2026 (Entry 161) 3 pages ORDER ON MOTION TO COMPEL PROPOSED ORDER/JUDGMENT 01/08/2026 (Entry 160) 2 pages ORDER ON EMERGENCY TRO PROPOSED ORDER/JUDGMENT 01/12/2026 (Entry 176) 8 pages AFFIDAVIT ON PUBLIC STORAGE THEFT ACCUSATIONS AND PETITIONERS ACQUISITION OF WEAPON DURING PROCEEDINGS AFFIDAVIT...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 91
EXHIBIT_CONTINUATION
RESPONDENT'S REQUEST FOR DE NOVO HEARING_25BAEB2D.pdf
e 01/12/2026 (Entry 176) 8pages AFFIDAVIT ON PUBLIC STORAGE THEFT ACCUSATIONS AND PETITIONERS ACQUISITION OF WEAPON DURING PROCEEDINGS AFFIDAVIT ON PUBLIC STORAGE THEFT ACCUSATIONS AND PETITIONERS ACQUISITION OF WEAPON DURING PROCEEDIN e 01/12/2026 (Entry 175) 7pages EMERGENCY MOTION TO STAY EVICTION PROCEEDINGS e 01/12/2026 (Entry 174) 3pages PROPOSED ORDER ON EMERGENCY MOTION TO STAY EVICTION PROCEEDINGS e 01/12/2026 (Entry 172) 5pages PROPOSED ORDER ON EMERGENCY MOTION TO TEMPORARILY STAY OR, IN THE ALTERNATIVE, IMPOSE PROTECTIVE CONDITIONS ON COURT-A...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 3
PLEADING_BODY
DF-24-18010 - Respondent's De Novo Hearing Request (CMP) (3).pdf
...QLE/benefits issues, HSA/FSA functionality, medical reimbursement control, and administrator access. 12. The denial or failure to address April 16, 2026 evidence theft, stolen hard drives, stolen evidence repositories, stolen devices, stolen litigation files, stolen financial records, stolen trial-preparation materials, stolen medical/legal records, stolen professional records, stolen electronics, stolen music/studio equipment, stolen medication, stolen safes/briefcases, and the resulting chain-of-custody crisis. 13. The denial or failure to order categ...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 4
PLEADING_BODY
DF-24-18010 - Respondent's De Novo Hearing Request (CMP) (3).pdf
...Jonathan Drake Steele. 19. The denial or failure to address trial-readiness defects created by incomplete financial production, blocked source-record subpoenas, missing/stolen evidence repositories, unresolved healthcare access, lack of functional litigation infrastructure, and unresolved witness-protection issues. 20. Any finding, conclusion, recommendation, refusal, or omission that permits the June 11, 2026 trial to proceed before the District Judge conducts de novo review and before source-record verification, stolen-evidence relief, healthcare enfo...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 6
EXHIBIT_CONTINUATION
DF-24-18010 - Respondent's De Novo Hearing Request (CMP) (3).pdf
...ity/payroll/Accenture compensation records; 9. HSA/FSA/healthcare/QLE/benefits records; 10. April 16 theft and chain-of-custody evidence; 11. records identifying missing/stolen hard drives, devices, litigation records, trial materials, financial records, and evidence repositories; 12. prior notices and motions showing repeated requests for discovery enforcement, subpoena authority, source-record verification, healthcare enforcement, trial abatement, and written rulings; 13. testimony and records concerning trial-readiness collapse; 14. any other evidence...
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2026-06-04
Court
REQUEST FOR DE NOVO HEARING
Page 7
EXHIBIT_CONTINUATION
DF-24-18010 - Respondent's De Novo Hearing Request (CMP) (3).pdf
...oner, counsel, experts, vendors, contractors, agents, or anyone acting for her to access, use, inspect, image, copy, review, disclose, rely upon, or benefit from Jason’s stolen hard drives, evidence repositories, source files, litigation materials, or derivative materials; 11. permits trial to proceed before de novo review and before the District Judge resolves trial-readiness defects. VI. REQUEST TO CONTINUE OR ABATE JUNE 11, 2026, TRIAL PENDING DE NOVO REVIEW Trial is presently set for June 11, 2026. The District Judge cannot conduct meaningful de novo...
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