Case Information
*1 1/16/15 Court of Appeals District Cadena Reeves Justice Center — 300 Dolorosa Suite 3200 ^ f^ .- = San Antonio Texas 780205-3037 :. = z>'d -^ Honorable Judge LittleJohn (^^
■ •— —o From: . ~r.--——. — — . 't~* ^" . ■ ■ Maryann Castro Pro-se Appellant ■ '" ^° ' 1501 Olive Jourdanton Texas 7S026 Court Of Appeals Number-04-14-00785 Trial Court Case Number-2011-CI-15957
Motion to Continue to Modify Agreement for Final Divorce Signed By Judge Canales on 10/30/13 contest the Equity of 40,000 using a comparative market analysis using a realtors opinion Appellee
overvalue 1501 Olive Appellant has a Certified Appraisal showing home value225,Q00 the actual value Honorable Judge
Little John
I Appellant, Maryann Castro pro se, am asking the court, for Justice, In the Agreement for Final Divorce. Settlement, Manuel Castro due to the false CMA-Comparative Market Analysis, A Realtors Opinion, and it state not to be used as an Appraisal and it was. Fraud was used I have the Appraisal of Real Property Certified Appraisal, 225,000. Tax Appraisal is 215,000 see copies Bankruptcy, Appellee Manuel Castro hid from Appellant MaryAnn Castro, Home mortgage not being paid. Appellant Maryann Castro, pray for the Court, to relief her of the Agreement For final divorce. Appellant Maryann Castro is seeking relief from Agreement of the Following facts with evidence listed in the Final Divorce, 40,000 there is not equity, fraud was set up by Appellee Manuel Castro mistress Christina Pacheco, to defraud Appellant Maryann Castro, spousal Maintence, with Appellee Manuel Castro taking part of the fraud.
*2 Appellee Manuel Castro has the martial property in bankruptcy, at the time of Agreement for final divorce was signed tried to falsely gain, 40,000 in Mortgage Money, hiding the bankruptcy Attorney Joseph Appelt took part in malpractice processing a divorce without the stay being lifted, and that is a law that was broken by, Attorney Joseph Appelt, Attorney Dinorah Diaz, Appellee Manuel Castro, and non-spouse mistress Christina Pacheco took part in defrauding Appellant Maryann Castro of spousal maintence, overvaluing the property 1501 Olive with a comparative market analysis, instead of a certified appraisal which is now provided, see copy and tax appraisal see copy. Appellant Maryann Castro pray for the court to grant her spousal maintence of 800.00 a month beginning as soon as possible with the date starting 10/30/13 as a payment Appellant Maryann Castro will accept the Johnson Control retirement Manuel Castro withheld, in the amount of 11,000 spousal maintence to be continued for 10 years, Appellant Maryann Castro is disabled and needs housing financial assistance to be provided, by Appellee Manuel Castro. Appellant Maryann Castro pray for the court to grant her 1501 Olive her homestead, not to be sold, due to Appellee Manuel Castro misleading the Court, Appellant Maryann Castro is disabled, 1501 Olive is her home life she never abandoned, Appellant Maryann Castro, paid Attorney Matthew Obremier to stop foreclosure, which would of happened 1/06/15 Appellant Maryann Castro, paid 3500 of her social security disability money, to stop foreclosure. Appellant Maryann Castro is asking the Court for Appellee Manuel Castro to reimburse her all attorney fees spent 20,000 for it is the Appellee Manuel Castro who committed adultery, fraud, and abandoned his role as provider, spouse, of Appellant Maryann Castro who is disabled and became disabled within the marriage and did not support Appellant through the Separation which began on or about 7/4/2011. Maryann Castro Appellant pray for the Court to honor her relief and award her Spousal Maintence, Attorney Fee, non-sale of homestead 1501 olive Jourdanton Texas. Respectfully^
<-> - j ) / . . i ,- Ms. Maryann Castro Pro Se Appellant 1501 Olive Jourdanton Texas 78026 830-496-0133 Pacattitude2014@gmail.com *3 1/16/15 Enclosed Appraisal of real property certified 225.000 a certified appraisal is the true value of 1501 Olive not a Comparative Market Analysis realtors opinion was used Appellee used his mistress realtor friend Archie Marmejo set it up to overvalue at 351,000 it was filed and used to defraud Appellant Maryann Castro of Spousal Maintence. Taxes I am paying copy appellee not paid Social security 2013 income I could not afford to do the things in the agreement for Divorce house was not being paid, in foreclosure, bankruptcy appellee Manuel Castro did not tell the court hid from appellant Maryann Castro Attorney Joseph Appelt and Attorney Dinorah Diaz hid this fact from Judge Canales, the stay was not lifted on 10/30/13. Dec 15, 2014 balance 79019.30 Note balance owed 275251.54 as of Nov 2014 Manuel Castro evidence of bankruptcy Dated 7/31/14 Appellant Maryann Castro paid for bankruptcy stay to be lifted Appellee Manuel Castro and Attorney Joseph Appelt proceeded in trying to collect financially illegally Appellee was in bankruptcy not paying the mortgage. Comparative Market Analysis, prepared for Appellant Maryann Castro 184,000 Comparative market analysis prepared for Appellee Manuel Castro mistress had prepared by realtor friend showed 351,000 fraud. Mistress involvement in Marriage Christina Pacheco BSI 73,967.02 statement proof Appellee owes mortgage no equity in 1501 Olive Tax Appraisal 215,000 on or about Appraisal Property certified at 225,000 not 351,000 Bankruptcy showing Appellee filed Appellant Maryann Castro never notified Harassment of Mistress Christina Pacheco at 1501 Olive Income of appellant Maryann Castro disabled Proof of affair committed Adultery notified by Christina Pacheco husband she is known as Tina Pacheco
*4 Appellant Maryann Castro prays for relief of Final Divorce Agreement signed on 10/30/13 no equity awarded to Appellee Manuel Castro due to fraud, Adultery, discrimination of a disabled person Appellee Manuel Castro Brought this to Appellant Maryann Castro when he abandoned his home and marriage to appellant Maryann Castro and Committed Adultery with Christina Pacheco both who committed fraud in the Agreement for Final Divorce signed on 10/30/13.
*5 M18*1 OF RBU. PROPERTY , LOCATED AT:
8165 FM 2146 Jowtfamon,™ 78028
FOR:
SanAntorio. Tma 78218
AS OF:
Oecembar is. 2QQ5
BV:
y 13720 Attotts Wal3 Drive Hcloto, Taras 7BQ23
(210) 695-ttCO *6 <w cftrniTO March2SUa \ ram -i r
*7 '. > LINEBARGER GOGGAN BLAIR & SAMPSON, LLP
ATTORNEYS AT LAW
«*- 711 Navairo Street, Ste 300
M--
/ \ San Antonio. TX 78205 \ Av v> ^ ■-V * -
L ° PHONE: (210) 225-4422 FAX: (210) 231-0963 \
(800)876-6144 *• IS)I July 22,2014 \ \^> T3-P0-SJSS A 1W7976850 fjgP4 PLEASANTON TX 78064-«95 ACCOUNT REFERRED FOR LEGAL ENFORCEMENT aw firm has been retained to institute forced collection procedures to collect the Atascosa County delinquent taxes on the above referenced account. This letter and the detailed tax statement enclosed are JotSSSK SZ iinquent and must be paid immediately to avoid legaUnforcement.
/ Atascosa County > 1001 Oak St I Jbnrdanton, TX 78026-284^- (830)769-3842 y ADDITIONAL TAXES TO ENTmES^NOI_SHOWN ON THE ATTACHED STATEMENT FOR LEASE C0NTACT ™0FFICE 0F ^ATASC0SA C0UNTY TAx SSIS: 5k
lieve this statement is m error, orftat you are entitled to an exemption, or ifyou do not own
please , 300, San Antonio, TX 78205 and supply the ACCOmf ens law office at 711 Navarro Street, Ste 300, San Antonio, TX 78205 and supply the = your comments. If you need to set up a payment plan, contact our office at (^00)^44 = your comments If you need to set t l a. Ifyou have an active payment plan, a lawsuit will not be filed. ■
Sincerely, ArfJL \ Ronald RRocha AttorneyatUw
CORKESPONDENCIA SE TRATA DE SUS IMPUESTa«5 Y I.A PfKIRH man nc iivt* *8 TAX RECEIPT 01/05/2015 08:54AM ATASCOSA COUNTY TAX OFFICE 1001 OAK STREET
Receipt Number
JOURDANTON, TX 78026
1302446 Dale Posted 01/05/2015 Payment Type P Payment Code Partial — Total Paid $100.00
PAID BY: CASTRO MARY ANN PO BOX 495 PLEASANTON. TX 78064
Property ID Geo Legal Acres Owner Name and Address [17471] 01239-00-000-001104 CASTRO MANUEL & MARYANN ' 9.4500
PO BOX 405
Legal Description PLEASANTON, TX 78064 ABS A01239 J POITEVENT SV-1.9.45 ACRES Situs DBA Name
1501 OLIVE ST ,
Entity Year Rate Taxable Value Stmt# Void Original Tax Dlscnts P&l Att Fees Overage Amount Pd
EVERGREEN WATER
DIST [2013] 0.00600
216.300 [53838] N 0.90 0.00 0.22 0.16 0.00 1.28
FARM TO MARKET
ROAD [2013] 0.07600 238.300 [53838] N 12.50 0.00 3.00 2.33 0.00 17.83 ATASCOSA COUNTY [2013] 0.34060 241.300 [53838] N 56.72 0.00 13.62 10.55 0.00 80.89
100.00 Balance Due As Of 01/05/2015: 796.13 Tender Details Description Amount Money Order 17-133811575
100.00 100.00
A
' Payment code of •Partial1 indicates this transaction is considered a partial payment Ploase contact the Tax Office for balance due Information. Operator Batch
Total Paid
LH
12840 (01/05/15LH) 100.00 Special Condition Exists for this Property Page 1 Receipt issued in Accordance with Section 31.075 of the Texas Property Tax Code
*9 Social Security Administration
Date: June 5, 2013
Claim Number: XXX-XX-5895A
™000020 PO BOX 495 PLEASANTON TX 78064-0495
you may send them this letter anyone else to have this information, Information About Current Social Security Benefits
deISs iseC$Tm30°12' the fUl1 m°nthly S0dal Securi* benefit before any We deduct $0.00 for medical insurance premiums each month. Your Social Security benefits are paid on or about the third of each month.
Type of Social Security Benefit Information You are entitled to monthly disability benefits. If You Have Any Questions 3 i > I
SOCIAL SECURITY 3438 E SOUTHCROSS SAN ANTONIO, TX 78223
See Next Page *10 CAUSE NO. IN THE DISTRICT COURT ICIAL DISTRICT QU*Al(?flStyD
BEXAR COUNTY, TEXAS
Ar.RFF.MF.NT FOR Pt'/NoJ On the 30 day of , came on to be heard the above styled ,20 and numbered cause of action. ** Petitioner and Respondent appeared in person and announced ready. After conference, the parties reached an agreement on the terms and conditions set forth below. By the signatures below the parties acknowledge that this agreement expresses the entire understanding and accord of the parties in consent that the Court may, without further notice, enter binding orders in accordance with this agreement.
o-f •2. W. OS an ^6,000 nbuiis> jj S^ Hrhe. debfe in4Viei/ Pebfe > Parties/Attorneys Initials Page 1 of 2 *11 CAUSE NO. i Temporary/Permanent Injunction: &.yip &eW tea II cku-Wfltte rtpf-essav^ jo See day of 20 SIGNED and ENTERED on this
JUDGE PRESIDING APPROVED AS TO FORM: =2> Attorney for Respondent OM "vXa.2.
APPROVED AS TO FORM AND SUBSTANCE:
(Please provide complete mailing address below.)
Responded (signature) \i\ixty N\Y\ If Respondent or Petitibnerls unrepresented, always include a mailina address. / Page 2 of2
*12 —• V «-/ V -f I ^ A H ^ i 1*501 Kwu fw\ Casho shft-H iis&- due di'liywA i^ fo mm. ^^F yh j* • ^^^* ft Jl ^§ t [4] fVn Uvxie Is MWu)el fl^ivnVs homf h 0/ pon 4^e/homeshJl ^4q,oqo stull pcu^lb so \ *13 ay\L r\^ds h V-dbaAJ (Y o, \ \ \ \ \ \ X X \ X X V l *14 151B-ZS4-B3 LIFT TO OPEN CU1292884- 11A41293272 Revenue 703 below, to see ifany Social Security benefits are
2012"- taxable. Do not return this form ofSocial Security we paid you in column headed "Description of to us or the IRS. Do not attach it 2012. This amount mav not agree Amount in Rnx 4" FORM SSA-1099 - SOCIAL SECURITY BENEFIT STATEMENT OHIO * PART 0F Y0UR S0CIAL SECURITY BENEFITS SHOWN IN BOX 5 MAY BE TAXABLE INCOME. ^U !£■ • SEE THE REVERSE FOR MORE INFORMATION. Box 2. Beneficiary's Sodal Security Number Box I.Name
MARYANN CASTRO
Box 4. Benefits Repaid to SSA in 2012 Box 5. Net Benefits for 2012 (Box 3 minus Box 4) Box 3. Benefits Paid in 2012 NONE §11,892.00 $11,892.00
DESCRIPTION OF AMOUNT IN BOX 4
DESCRIPTION OF AMOUNT IN BOX 3 Paid by check or direct deposit. $ 11,892.00 NONE Benefits for 2012 $11,892.00
Box 6. Voluntary Federal Income Tax Withheld
NONE
Box 7. Address MARYANN CASTRO PO BOX 495 PLEASANTON TX 78064-0495
Box 8. Claim Number (Use this number if you need to contact SSA.)
458-43-5895A
Pnrm RCA.inoo.eM M.9ni<M DO NOT RETURNTHIS FORM TO SSA OR IRS *15 PIOZ t JaqmaaaQ 0U1SV0 AWPY bhbhbb 6699-£P9 (ZL6) :xbj dD •L°N ST XNaCEJDam 1VO37 0099-£W(3Z6) :nrep>i
/i fff«en IS *16 F>S! rin<wcial ^,r:rt/ ces, Inc.
10/09/2014 MANUEL G CASTRO JR 1501 OLIVE ST JOURDANTON, TX 78026-2220 Loan Number: 44675 Property Address: 1501 OLIVE STREET
JOURDANTON, TX 78026 NOTICE OF DEFAULT AND INTENT TO ACCELERATE Dear MANUEL G CASTRO JR: This letter is formal notice by BSI Financial Services, Inc. (herein as "BSI") the Servicer of the above-referenced loan, on behalf of MLB SUB I, LLC that you are in default under the terms of the documents creating and securing your Loan described above, including the Note and Deed of Trust/Mortgage/Security Deed ("Security Instrument"), for failure to pay the amounts due. The loan is due for 12/01/2011 and subsequent payments, plus late charges, fees and costs. As of today, the total delinquency and reinstatement amount is $73,967.02, which consists of the following:
Next Payment Due Date 12/01/2011 Total Monthly Payments Due: $66,367.76
(35 @ $1,732.72) Late Charges $4,204.26 Other Fees: $3,395.00 Unapplied Balance: ($0.00) TOTAL YOU MUST PAY TO CURE DEFAULT: $73,967.02
It is possible that after payment of the amounts detailed above there may be other fees still due and owing, including but not limited to other fees, escrow advances or corporate advances that BSI paid on your behalf or advanced to your account. This letter is a formal demand to pay $73,967.02. If the default, together with additional payments that subsequently become due, is not cured by 11/13/2014, BSI will accelerate the note so that the entire debt is immediately due and payable, and take steps to terminate your ownership in the property by a foreclosure proceeding or other action to seize the property. IF YOU ARE UNABLE TO BRING YOUR ACCOUNT CURRENT, BSI offers consumer assistance programs designed to help resolve delinquencies and avoid FORECLOSURE. These services are provided without cost to our customers. You may be eligible for a loan workout plan or other similar alternatives. If you would like to learn more about these programs, you may contact the Loss Mitigation Department at (800) 327-7861, Monday-Wednesday 8 am to 8 pm EST, Thursday 8 am to 6 pm EST, Friday 8 am to 5 pm EST, Saturday 8 am to 12 pm EST. WE ARE VERY INTERESTED IN ASSISTING YOU. The default above can be cured by payment of the total delinquency and reinstatement amount plus any
TX_NOI
Pase1d3
*17 12-52696-cag Doc#S2 H,ed 06/12/U Entered 06/12/14 23:56:26 ,-naged Cerate o,
In re:
Manuel Guadalupe Castro, Jr.
Debtor
CERTIFICATE OF NOTICE
District/off: 0S42-5 User: elizondol Page 1 of l Form ID: 132 Date Rcvd: Jun 10, 2014 Total Noticed: 3 "»' - th. following persons/entities Castro T '•"titles by the Bankruptcy
Noticing Center on .Manuel , TOTAJ^S: 0, * 0, C Date: Jun 12,2014 : /s/Josenh CM/ECF NOTICE OF ELECTRONIC FILING ^f Manuel Guadalupe Castro, Jr
TOTAL: 10
*18 12-52696-cag Doc#9 Filed 09/21/12 Entered 09/21/12 15:05:21 Main Document Pg 1 of 7 IN THE UNITED STATES BANKRUPTCY COURT WESTERN DISTRICT OF TEXAS SAN ANTONIO DIVISION IN RE: Manuel Guadalupe Castro, Jr. § Case No. 12-52696-lmc § Debtors) § CHAPTER 13 PLAN To the Honorable United States Bankruptcy Judge: Comes now the Debtor(s) herein and. as required by 11 U.S.C. §1321, files this Debtor's Chapter 13 plan, and in support thereof would show the Court as follows:
Monthly Plan Payment Debtor(s) shall each month submit such portion of Debtor's future earnings (or other future income) to the supervision and control of the Chapter 13 Trustee as is necessary for the execution of this plan. Payments by Debtor to the Trustee shall begin within thirty (30) days after the date the Order for relief is entered unless otherwise allowed by the Court. The Debtor's monthly plan payment shall be an amount equal to the Debtor's monthly disposable income or an amount sufficient to pay the claims of general unsecured creditors in full over the term of the plan, whichever first occurs.
Duration of Plan The term of the plan shall not exceed sixty (60) months from the date the first monthly plan payment is due or until the claims of general unsecured creditors are paid in full, whichever first occurs, provided that the term may be extended by the granting of a moratorium by the Court after proper notice and opportunity for hearing, or other modification of the plan granted by the Court after proper notice and opportunity for hearing. Regardless of the total term, unless there has been a change in circumstances, the plan shall be deemed to have been completed when the Chapter 13 Trustee has received from or on behalf of the Debtor(s) an amount equal to the number of months specified in the Plan times the monthly plan payment or an amount necessary to pay the claims of general unsecured creditors in full, whichever first occurs, and as adjusted by any post-confirmation modifications of the amount of the monthly plan payment.
Payment of Claims Allowed claims shall be paid to the holders thereof in accordance with the terms hereof. From the monthly payments described above, die Chapter 13 Trustee shall pay die following allowed claims in the manner and amounts specified. Claims filed by a creditor designated as secured or priority but which are found by the Court to be otherwise shall be treated as set forth in the Trustee's Recommendation Concerning Claims (TRCC). Local Rule 3002 provides, in part, that EVERY creditor filing a proof of claim in all cases SHALL transmit a copy with attachments, if any, to the Debtor's attorney (or the Debtor if the Debtor is pro se) and the Trustee appointed in the case. A. Administrative Expenses: The Trustee shall pay the expenses, as prescribed by the Court, for administering the plan. The first monthly plan payment shall be paid to the Debtor's attorney as attorney's fees. The balance, if any. of Debtor's attorney's fees shall be paid concurrently with allowed secured claims in consecutive monthly installments. Such fees shall be paid in full prior to any payments being made to general unsecured creditors. Once Debtor's attorney fees are paid in full, those funds will be paid, pro rata. first to secured creditors, then to priority creditors and then to unsecured creditors. B. Priority Claims: Other than Debtor's attorneys' fees, payment of which is provided for in the preceding paragraph, claims entitled to priority under 11 U.S.C. §507. except a claim entitled to priority under §507(a)(l)(B), shall be paid in full, pro rata, unless a specific payment amount is assigned to a particular priority claim, in deferred installments as funds become available upon completion of payment of attorneys' fees and allowed secured calims. The holder of any such claim may agree to a different treatment of such claim. Claims allowed under §507(a)( 1)(B) are not dischargeable and may be paid less than the full amount only if the Debtor's disposable income is paid into the plan for 5 years.
Computer software provided by LegalPRO Systems, Inc., Son Antonio. Texas - (210) 561-5300 *19 12-52696-cag Doc#SO Filed 06/10/14 Entered 06/10/14 06:59:04 Ntc/Hrg BK int ptys Pg 1 UNITED STATES BANKRUPTCY COURT Western District of Texas Bankruptcy Case No.: 12-52696-cag Chapter No.: 13 Judge: Craig A. Gargotta IN RE: Manuel Guadalupe Castro, Jr., Debtors)
NOTICE OF HEARING
PLEASE TAKE NOTICE that a hearing will be held at 5£n?ounroom 3« HipoKto F. Garcia Fed Bldg & Courthouse, 615 E. Houston St, San Antonio TX
T8205
on 7/31/14 at 01:30 PM Hearing to Consider andlAcjI Upon the Following: (Related Document^): 49 Motion to Approve Agreement for Final Divorce Nunc Pro Tune filed by Jeffrey Rollins DavisOl for Debtor Manuel Guadalupe CasttoJr (Attachments^ 1 Proposed Order # 2 Exhibit)) Hearing Scheduled For 7/31/2014 at 01:30 PM at SA Courtroom 3 (Elizondo, Lisa)
Dated: 6/10/14 Yvette M. Taylor Clerk, U. S. Bankruptcy Court
[llnriag Nuttt (llW)J fNukiceCw) *20 Connecting Your Real Eslate Community
Page 19 of 20
r Seller's Statement Property At: 1501 Olive Street -Ri- or: Ma/ya/w ^501 OAVe Street 7 Jourdanton, TX 78026 , $i84/000 http://saborgw2.connfirfmic / *21 Comparative Market Property At: Prepared For: Manuel Castro
1501 Olive Jourdanton, TX 78026 Prepared By: Archie Marmolejo All Season Realty
<uei Office Phone: (830) 281-5263 Direct Une: (210) 347-7330 Personal Fax Number: (210) 569-6211 Email: mannolejoarchIe@aot.cDm THIS IS>» BROKBi PRICE OPINION OR COMPARATIVEMARKETANALYSISAND SHOULD NOT BE 00NSIDBtB> AN APPRAISAL In maWng any decision Hat relies upon my worig. you sheuW know that I hsva not foBov/ed the guidelines for development of an appraisal or analysis contained in the Uniform Standards of Professional Appraisal Practice of the Appraisal Foundation. Prepared By: Archie Narmolejo AH Season Realty innnnnii 14:3« *22 ftETn-EMEWT AND WAIVER OP PROTEST
274 S4TH STREET
Account* 01239-004)00-001104 Case #:2014-9
POTEET.TX 78085
Prop ID: 17471 Legal Desc: ABS A01239 J POITEVENT SV-
1,9.45 ACRES
54028 CASTRO MANUEL & MARYANN
PO BOX 495
PLEA8ANTON, TX 78064 - ' ' O-
Date:05/07/14 SETTLEMENT AND WAIVER OF PROTEST I acknowledge iSyrtMn-r r^^tand waive my r^htto any further proceeding In this above has been settled. I matter. Describe actions to be taken: /°
DP.HS EXEMPTIONS: $0
LAND AG VALUE:
$54,810
LAND HOMESTEAD VALUE-
$54,810
LAND MARKET VALUE
$159,770
IMPROVEMENT VALUE:
$214,680
TOTAL MARKET VALUE:
$214,580
. NEW ASSESSED VALUE:
Property owner / sign yt-/"Y hare * A1 I
urailon here «*► Order I with a quorum present Qnttte davof ordered that the i
*23 2/13/2012 TO: EDWARD PIKER ATTORNEY FOR MARY ANN CASTRO FROM: RUDY PACHECO EVIDENCE OF AFFAIR MANUEL CASTRO HAS BEEN HAVING WITH MY WIFE ON OR ABOUT 7/3/11 THAT'S WHEN THE AFFAIR BEGAN I RUDY PACHECO AM A WITNESS TO THE FOLLOWING: MANUEL CASTRO, HAS BEEN HAVING AN AFFAIR WITH MY WIFE TINA PACHECO THEY LIVED TOGETHER IN ELMENDORJ ON HICKORY SHAWDOW WITH MANUEL CASTRO SISTER, LEILA SILVA AND HER FROM^LY^/utoAUG 18/11 SHE LEFT ME SAID SHE WANTED SOME TIME ALONE SHE WAS LVING WITH MANUEL, And I QUESTIONED HER TALK TO HER DAILY WE WOULD GO EAT DAILY. SOMETHING DID NOT SEEM RIGHT, BECAUSE MY WIFE OF 30 YEARS DID NOT WANT TO BE HOME AT OUR ^Tc^O^IZl^l EVEN THOUGH HE «™ AND 1
WFRE MARRIED I WOULD SEE HIM STALKING OUR HOME, I ASKED MY
wfFE O^ND OV^ER WHO WAS MANUEL CASTRO, SHE CLAIMED SHE DID NOT KNOW HE KEPT CALLING HER BOTHERING HER MANUEL CASTRO HAS A WIFE WHOM 1 KNEW AND WAS NOT AWARE HER HUSBAND WAS CM LING MY WIFE AND STALKING HER. FROM THE AFFAIR THAT BEGAN IN JULY 3. 201II NOTICED MY WIFE TEXTING MARYANN CASTRO AND I QUESTIONED HER SHE WOULD CALL MS MARY ANN CASTRO CRAZY AND THAT MS CASTRO WAS THE ONE THAT WAS TEXtInG HER I MET MS CASTRO AND COME TO FIND OUT MY WIFE TINA PACHECO WAS CALLING HER HUSBAND AND HARRASSING MS CASTRO I DID NOT KNOW MY WIFE HAD BEEN CALLING MANUEL CASTRO SHE KEPT SAYING SHE DID NOT KNOW AND DID NOT KNOW WHAT HE WANTED SHE LIED. SHE RETURNED HOME AFTER BEING AWAY ALMOST TWO MONTHS,SHE WAS LIVING IN ELMENDORF WITH MANUEL CASTRO.THE AFFAIR DID NOT STOP EVEN THOUGH SHE RETURNED HOME MY V?IFEBTINA PACHECO WOULD RUN OFF AT WEEKENDS, SHE WOULD BE TEXTING MANUEL CASTRO AND MANUEL CASTRO WOULD BE CALLING HER EVERYTIME MY WIFE RAN OFF WITH MANUEL CASTRO, WHEN HE WOULD CALL, SHE RETURNED WITH HICKEYS, WAS OUT LATE SOMETIME NEVER RETURNED.HOME . SHE MADE ALL SORTS OF EXCUSES TO GET OUT OF THE HOUSE.
*24 MARYANN CASTRO HAS BEEN THE ONE WHO HAS BEEN HARRASSED BY MY WIFE TINA PACHECO BECAUSE MY WIFE HAD BEEN HAVING A SEXUAL AFFAIR WITH MANUEL CASTRO. MY WIFE TINA PACHECO HANDLED MY MONEY I WOULD CASH MY CHECK AND HAND HER MY MONEY SHE NEVER PUT ME ON OUR ACCOUNT I WOULD SEE THE BANK STAEMENT STATEMENT COME TO FIND OUT SHE WAS USING MY MONEY TO PAY FOR HOTEL ROOMS, CLOTHES, BOOTS, GO OUT TO EAT, PAID HIS CELL PHONE BILL, GIVE HIM MONEY, WITH MY ^00-8585 IS MANUEL CASTRO CELL PHONE NUMBER I CALLED HE CALLED ME BACK TOLD ME HAS MY WIFE SAID SHE LOVED ME THAT HE DID WANT PROBLEMS WITH ME OR MY SONS, ABOUT 1AM ON OR ABOUT 9/14/1 l'HE WAS DRUNK, HE TOLD ME HE AND MY WIFE WERE HAVING AN
AFFAIRAND SHE WAS PAYING WITH MY MONEY FOR HER AFFAIR WITH
i^TED QUESTIONING MY WIFE ABOUT MONEY BECAUSE ON FRIDAY 1 WOULD GET HOME EARLY SHE WOULD NOT BE HOME SHE WOULD TAKE OFF FROM OUR HOME NEVER CALLED ME I WOULD KEEP CALLING HER UNTIL SHE RETURNED I KNEW SHE WAS RUNNING AROUND WITH MANUEL CASTRO SHE KEPT DENYING SAYING SHE WAS AT HER MOMS, SISTER, A MANUEL CASTRO^SAT FAULT FOR BREAKING UP MY MARRIAGE HE KEPT CALLING MY WIFE TINA PACHECO,I SAW HIS NUMBER ON CALLER ID AND 1 SAW HIS SISTER LEILA SIVA ON CALLER ID, MY WIFE TINA PACHECO WOULD GET MAD WHEN I QUESTIONED HER ABOUT HER WHERE ABOUTS. ON 10/13P011 MY WIFE TINA PACHECO LET ME AGAIN, SHE LEFT OUR GOODWIN HOME AND RAN OFF WITH MANUEL CASTRO, COME TO FIND OUT MANUEL AND MARYANN CASTRO ARE DIVORCING, BECAUSE OF MY WIFE HAVING AN AFFAIR WITH MANUEL CASTRO,THESE TWO PERSONS ARE AT FAULT FOR OUR MARRIAGES ENDING, I KNOW MS MARYANN CASTRO HAD TRIED TO HOLD ON TO HER MARRIAGE AS I DID THE SAME, BUT MY WIFE KEPT CALLING HER HUSBAND MANUEL CASTRO AND SHE DID NOT RESPECT MS MARYANN CASTRO <=HELIVED WITH MANUEL CASTRO/THREATEN MS MARYANN CASTRO,VERBALLY,TEXT,EVEN STALKED HER BECAUSE SHE WAS HAVING AN AFFAIR WITH MANUEL CASTRO. TILL THIS DAY MY WIFE TINA PACHECO AND MANUEL CASTRO ARE LIVING AT MY HOME THAT 1 BOUGHT ON GOODWIN STREET,ON GOODWIN IN PLEASANTON TEXAS,SHE HAD MS MARYANN CASTRO ARRESTED CLAIMING SHE HAD HARRASSED HER 1/25/26/2012,MS CASTRO WAS AT WORK,SHE HAD BEEN THREATENED BY BY WIFE, MANY TIMES SHE WAS GOING TO HAVE HER ARRESTED.BECAUSE SHE KNOWS PEOPLE IN LAW ENFORCEMENT.JUDGE GUERRA.OFFICER VELASQUEZ,MS MARYANN CASTRO IS THE WIFE OF MANUEL CASTRO,WHOM MY WIFE LEFT ME FOR BEGINNING 7/3/11 AS OF NOW, I HAVE SEEN HER TEXT MS MARYANN CASTRO AS I SAID SHE DID HARRASS MS MARYANN CASTRO
*25 MANY TIMES, BECAUSE MY WIFE TINA PACHECO IS BITTER THAT HER MARRIED LOVER MANUEL CASTRO HAS A WIFE OF 28 YEARS WHOM SHE KNEW SHE IS THE WIFE OF HER LOVER MARRIED MANUEL CASTRO WHOM SHE HAS BEEN HAVING A SEXUAL AFFAIR WITH SINCE JULY3.2011 AS OF NOW THEY HAVE CONTINUED THEIR SEXUAL AFFAIR IN MY HOME IN PLEASANTON TEXAS ON GOODWIN STREET .February 13, 2012 RESPECTFULLY MR RUDY IF I CAN BE OF ANY ASSISTANCE PLEASE CALL ME AT MY ATTORNEY IS DINORAH DIAZ 2325 VANCE JACKSON SAN ANTONIO TEXAS 78213
Given under my hand and seal this 18th day of February, 2012
DEHOYOS
;x-'otafv p"blic. State oi Texas V:/-.r>v-"/ M C My Commission Expires p Notary Public '■'■•«< «»*V Janunrv 15 om ■» January 15. 2013 *26 2A11CUSSS7 -P0R035 NO.20U-CI-I3957 IN THE MATTER OF § IN THE DISTRI THE MARRIAGE OF §
§ MANUEL G.CASTRO § 45TH JUDICIAL AND § MARYANNCASTRO § BEXARCOUNTY,
SECOND AMENDED COUNTERPET1TION FOR DIV
1. Discovery Level Discovery in this case is intended to be conducted under level 1 of rule 190 of the Texas Rules of Civil Procedure. No children are involved in this divorce case, and the value of die marital estate is more than zero but not more than $50,000. 2. Parties
This suit is brought by Mary Ann Castro, Counterpetitioner. The last three numbers of Mary Arm Castro's driver's license number are 782. The last three numbers of Mary Ann Castro's Social Security number are 895.
Manuel G. Castro is Counterrespondent Tina Pacheco is a third party Non Spouse Defendant. 3. Domicile
Counterrespondent has been a domiciliary of Texas for me preceding six-month period and a resident ofthis county for the preceding ninety-day period. 4. Service
Service of this document may be had in accordance with Rule 21a, Texas Rules of Civil Procedure, by serving Counterrespondenfs attorney of record, Joseph P. Appelt, 5825 Callaghan Rd, Ste. 104, San Antonio, Texas 78228.
DOCUMENT SCANNED AS
FILED *27 3II1CXJ99S7 -P0BO35 WO. 2D11-CI-1S957 § INTHEDISTRI
IN THE MATTER OF
THE MARRIAGE OF §
45TH JUDICIAL MANUEL G.CASTRO §
AND
§ BEXARCOUNTY,1
MARY ANN CASTRO
SECOND AMENDED COUWTERPETITION FOR DIV< Discovery Level 1. Discovery in this case is intended to be conducted under level 1 of rule 190 of the Texas Rules of Civil Procedure. No children are involved in this divorce case, and the value of the marital estate is more than zero but not more than $50,000. 1 Parties
This suit is brought by Mary Ann Castro, Counterpetitioner. The last three numbers of Mary Ann Castro's driver's license number are 782. The last three numbers of Mary Ann Castro's Social Security number are 895.
Manuel G. Castro is Countenespondent Tina Pacheco is a third party Non Spouse Defendant. 3. Domicile
Coimterrespondent has been a domiciliary of Texas for the preceding six-month period and a resident ofthis county for the preceding ninety-day period. 4. Service
Service of this document may be had in accordance with Rule 21a, Texas Rules of Civil Procedure, by serving Counterrespondent's attorney of record, Joseph P. Appelt, 5825 CaUaghan Rd, Ste. 104, San Antonio, Texas 78228.
DOCUMENT SCANNED AS
FILED *28 Service of this document may be had in accordance with Rule 21a, Texas Rules of Civil Procedure, by serving Tina Pacheco at 624 West Goodwin, Pleasanton Texas 78064. 5. Protective Order Statement
No protective order under title 4 of the Texas Family Code is in effect, and no application for a protective order is pending with regard to the parties to this suit 6. Dates ofMarriage andSeparation
The parties were married on or about July 21, 1984 and ceased to live together as husband and wife on or about July 3, 2011. 7. Groundsfor Divorce
The marriage has become insupportable because of discord or conflict of personalities between Counterpetitioner and Counter-respondent that destroys the legitimate ends of the marriage relationship and prevents any reasonable expectation ofreconciliation.
Counterrespondent is guilty of cruel treatment toward Counterpetitioner of a nature that renders further Irving together insupportable including commiting assault on Counterpetitioner. Counterrespondent has committed adultery. Counterrespondent has left Counterpetitioner with the intention of abandonment and has
remained away for at least one year. 8. Child ofthe Marriage
There is no child born or adopted of this marriage, and none is expected. 9. Division ofCommunity Property Counterpetitioner believes Counterpetitioner and Countenespondent will enter into an agreement for the division of their estate. If such an agreement is made, Counlerpetitumer requests the Court to approve the agreement and divide their estate in a manner consistent with
,■ i *29 Service of this document may be had in accoidance with Rule 21a, Texas Rules of Civil 5. Protective Order Statement
No protective order under title 4 ofthe Texas Family Code is in effect, and no application for a protective order is pending with regard to the parties to this suit 6. Dates ofMarriage and Separation
The parties were married on or about July 21, 1984 and ceased to live together as husband and wife on or about July 3,2011. 7. Groundsfor Divorce
The marriage has become insupportable because of discoid or conflict of personalities between Countetpetitioner and a>unterrespondent that destroys the legitimate ends of the marriage relationship and prevents any reasonable expectation ofreconciaatioiL
Counterrespondent is guilty of cmel treatment toward Counterpetitioner of a nature that
renders further living together insupportable including commiting assault on Counterpetitioner.
Counterrespondent has committed adultery. Counterrespondent has left Counterpetitioner with the intention of abandonment and has
remained away for at least one year.
8. Child ofthe Marriage
There is no child bom or adopted of this maniage, and none is expected. 9. Division ofCommunity Property Counterpetitioner believes Counterpetitioner and Counterrespondent will enter into an agreement for the division of their estate. If such an agreement is made, Coimterpetraoner requests the Court to approve the agreement and divide their estate in a manner consistent with
ATASCOSA COUNTY SHERIFF'S OFFICE *30 1108 Campbell Ave. Jourdanton, Texas 78026 Qffice-(830) 769-3434 Fax-(830) 769-2721 atascosa.county.sheriff@acso-tx.org David Soward Sheriff Complainant/Property Owners: The Atascosa County Sheriffs Department Dated "%1-lOn Regarding Case # g has been requested by the above named complainant to act with the authority in the following: Texas Penal Code Section 30.05-Criminal Trespass
(a) A person commits an offense if the person enters or remains on or in property of another, including residential land, agricultural land, a recreational vehicle park, a building, or an aircraft or other vehicle, without the effective consent and the person: (1) Had notice that the entry was forbidden; or (2) Received notice to depart but failed to do so.
his written order is hereby served to the below individual, imparting immediate, effective notice that nuance onto the property to wit; 1561 flUuS ST JwdWK^ TV 7%^^ in Atascosa County is forbidden. ,y order of the complainant/property owner's, entrance to the property described above is forbidden until complainant has contacted the .tascosa County Sheriff's Office in person and in writing, asking that the Criminal Trespass Notice be lifted. Any entrance onto the above listed roperty will constitute a violation of the law. A violation of the Texas Criminal Trespass statue may be subject for criminal prosecution under exas Law, punishablfby confinement in jail for a term not to exceed one (1) year and/or a fine not to exceed $4,000.00.
j 1 (f APPn acknowledge that I have received, read, and understand the above written Criminal
respass Warning, and that I have received a copy of the same. J m4-;/is. ho\)pQd
Date
Date of Birth Signature ame of Person Warned S I fputy s Signature Date
