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Meria James Bradley v. Robert F. Authur
01-15-00065-CV
| Tex. App. | Feb 27, 2015
|
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Case Information

*1

In The Count of Ameeds For The First District of Texas At Houston Appeal Cause number at-15-00065-CL

In The 20thistrict Count of Harris County, Texas Thallcant Case number: 2011-57020

menia James Bradley AbinettiFF

W. Robert F. Autthor Defentend Moffon Reguest For Count to Appointed Counsel Under The State Bar of Texas ProBeno program First Count of Appeals

To The Honorable Judge of said Launt: Come near the Doinetti menia James Bradley 1837524 and requests that the Court to Appoint Counsel to assist him in resolving pending changes in the abuse suit. Slightedance Puruant to Texas Rule of Appellate Procedure Rule 20.1 states as follows: An Judigent Doinetti is entitled to the Court to Appointed Counsel under the sttamentant of

Menia James Bradley 1837524

*2

Christopher A. Drive Clerk
First Court of Appeals

Dear Clerk, on mouth of San Joys, I did like with the all the above Motions and ask the District Clerk of the 30th District Court. Chinis Daniel to File All motion to beur Court, The First Court of Abdeals,

Noted: Here the name of All the Motions and Request Iaskchrist Daniel To File to your Court:

The following Motions and Request:

  1. Request for the Court to Abdooited Counsel
  2. Motion For Default Judgement
  3. Notion of Abdeal
  4. Plaintiff Motion To have written Ruling on, pllthe Plaintiff Motions
  5. Motion For Sub peon ADuices Teamm Witnesses List,
  6. Notice of Summons and the Answer to the Summons, note: The 80th District Court wass out to summons the Defendand
  7. Plaintiff Motion of Specifil obiection To 30 the Larry WeIman Listen to Dismiss For Werd of Drosercittion.
  8. Plaintiff Request to be that by 3tury withid the suif.
  9. The Defendant Counsel Ruling, bu egyet on 12 s ThirdParties the Church and the Ruling on the Motion:
  10. Copy of Defendant Counsel Motion For Dis eouery
  11. Plaintiff Motion For Leave to File an Amended To his Motion For Default Judgement. To Add to it the Order Noted: This was the Plaintiff Motion For Requesting Desigmation of Itenis.

Sincerely Date February

*3 Christopher A. Prine Clerk First Court of Apeeals

Dear Clerk

Evelised please find my pro se mblowit my mofon to Proceed In Forma Ruperis. My mofon asking The Lauer to put me in The strte Bar of Paras pro Bono Program at the First Lauer of Apeegis. My mofonfowest of A Free Lony of the Trial Transcript and the Clorks Record. Any motion Requesting Desiranation of I tems. Please file these motions and bring it to the Atrewton of the Lauer. Please Date-Stamp this Letter and return it to me at my address shawm belour. I also request that you notify me of the Lauer's Ruling on my omotions at hand.

Sheorely

Date Rorway 18 3015

*4

*5

IN The
Count OF Appetts
For The
First District of Texas
At Houston

Appet Cause number at-15-00065-CU

IN The 80thDistrict Court of Harris County, Texas Trial Court Case number: 8011-570 20 menia James Bradley District of W. Robert F. Authun Deforment

Moffim Reeuest For Court to Appointed Counsel Under The State Bar of Texas Pro Bano Program First Couret of Appetts

To The Hononable Study of said Lourt: Come now the Moothor menia James Bradley 1837534 and requests that the Court to Appoint Counsel to assist Him in resolving pending Changes in the abare suft-styledause Puruant to Texas Rule of Appetite Prozedure Rule 20.1 states as follows: An indigent Plaintiff is entailed to the Court To Appointed Counsel under the sinamentant of

*6 the United States Constitution to reporesent Minimany Adversary Judicial Proceeding that may result in Dainishment Planitifs Deforation in Support of His Rights to Representation of Counsel "Plaintiffis is unable to afford Counsel. He has reauested leave to proceed in Forma Pauperis. 2. Plaintiff's imprisonment will Greatly limit his Abilify to Disgate.

A The issues involved in this case are and will require Sipvitieand research and Investigation. Plaintiff has limited Access to the Law Library and limited Knowledge of Moil Law 3. Oral Abaument willLikely involve Conflicting Testimony Form the Defendant on not Showing up at the Trid. and counsel would better evade Plaintiff to present evidence because Plaintiff can not Investigation the fact who the Defendant did not Come to Caret after the Caret sumMous Robert Fauthur to come to Caret, and why the Caret never made a ruling on the Plaintiff Motion for Default Judgment. 4. Plaintiff has made repeated efforts to obtain a Lawyer Wherefore Plaintiff's request that the Court to Appoint member of the Bar, as Counsel. Dote Rebrang 18-2015 Simele Comer Eguolley Sipatiure proft Mone below Meria James Bradley $1837534

*7

Certificate of Service

Iheme by certify that A Tine Lory of the above Motion Court to Moosisted Launsel under The stnte Ban of Tens Pro Bono Dnogram was Ser ved on The First Laun of Apepents bu DlLlwa A Copu in the U.S. Mail addresst to 301 faminu St, Hauston Texas 77003 - 8066 on this Ee day of 9015 .

Order Selling Heavies

It is ordered that the Heaviva on the Plaintiff Motion forhpoint pFlaunsel Herebu set for am. Dm on the duost in the Courtroom of the District Launt in exas. Signed this the day of

Judge presiding

*8

Christopher A. Drive Clerk
First Court of Appeals

Dear Clerk, on mouth of San Joys, I did like with the all the above Motins and ask the District Clerk of the 30th District Court. Chinis Daniel to File All motion to beur Court, The First Court of Abpeals,

Noted: Here the name of All the Motions and Request I Askchrist Daniel To File to your Court:

The following Motions and Request:

  1. Request for the Court to Appointed Counsel
  2. Motion For Detall Judgement
  3. Notion of Appeal
  4. Plaintiff motion To have written Ruling on, pllthe Plaintiff Motions
  5. Motion For Sub peon ADuces Team Wrnesses List.
  6. Notice of Summons and the Answer to the Summons, note: The 30th District Court wns day to sumum 3 summons the Defendand
  7. Plaintiff motion of Specifil obiection To 3 tube Larry WeIman I 3 tion to Dismiss For wend of Drosecliptip.
  8. Plaintiff Request to be Thal by 3tury withio the suif.
  9. The Defendand Counsel Ruling, bu layet on its Tind Panties the Church and the Ruling on the Motion:
  10. Copy of Defendand Counsel Motion For Dis Loury
  11. Plaintiff Moting For Leave to File an Amended to his Motion For Detault Judgement. To Add to if the Drolen Noted: This was the Plaintiff Motion For Requesting Des ignotion of Itenis.

Sincerely Date February

*9 Chisistopher A. Prine Clerk First Court of Apeeals

Dear Clerk

FILLD IN 1ST COURT OF APPEALS MOUSTINI TEXAS

FEB 272015

CHRISTOPHER A. PRINE CLERK CYN

Evelised please find my pro se mishif my mother to Proceed In Forma Ruperis. My mother asking The Lauer to put me in The state Bar of Texas Pro Bono Program at the First Lauer of Apeeals, my mationfowest of A Free Lony of the Trial Transcript and the clerks Record, my mother Requesting Destruction of I tems. Please file these motions and bring it to the Atrewton of the Lauer. Please Date Stamp this Letter and return it to me at my address Shown belour. I also request that you notfy me of the Lauer's Ruliny on my omotions at hand.

Sheorely Cima Genon Bradley Meria James Bradley + 1837534 − 18 − R − 53 Dolowsky UNT 2872 LM 350 South Bulugstony TX 77351

Date Rorway 18 3015

Case Details

Case Name: Meria James Bradley v. Robert F. Authur
Court Name: Court of Appeals of Texas
Date Published: Feb 27, 2015
Docket Number: 01-15-00065-CV
Court Abbreviation: Tex. App.
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