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Freda White v. Primose at Heritage Park
14-15-00458-CV
| Tex. App. | May 28, 2015
|
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Case Information

*0 FILED IN 14th COURT OF APPEALS HOUSTON, TEXAS 5/28/2015 2:09:17 PM CHRISTOPHER A. PRINE Clerk *1 on 5/28/2015 2:05:31 PM OFFICE OF STAN STANART COUNTY CLERK, HARRIS COUNTY, TEXAS CIVIL COURTS DEPARTMENT May 28, [2015]

Court of Appeals

[301] Fannin

Houston, Texas [77002]

LETTER OF

Court Docket Number: [1061446]

Trial Court Number: Four (4)

Style: FREDA WHITE AT HERITAGE PARK VS.

APPELLANT(S) APPELLEE(S)

Judge: ROBERTA LLOYD

Appellant(s) Attorney: Appellee(s) Attorney: N o. 24085312 Freda White, Pro Se Scott H. Fournier, 10355 Old Bammel No. 4204 3311 Richmond Avenue, Suite 305

Phone: Houston, N/A Texas Phone: Houston, (713) Texas 622-2111 [77098]

Fax: N/A Fax: (713) 622-2119

E-Mail: N/A E-Mail: scott@cweren1aw.com

Freda White, appellant, of Appeal on May 27, 2015 the Final that was on May 11, a 2015.The

Clerk’s Record is due office on or before June 10, 2015. to your

/S/Joshua Alegria

Alegria

Deputy Clerk

P.O. Box

Houston, TX 77251-1525

(713) 755-64211>.o.

1525 I I (713) 755-6421 TX 77251-1525 1 of 1 INTHECOUNTYCIVILCOURT at HERITAGEPARK §

§ at LAWNO. FOUR(4) § HARRIS COUNTY,TEXAS WHITE

MOTIONTOAPPEALwith PAUPER'sAFFIDAVIT

FREDABRASHERWHITE,Pro Se Litigant, as Defendant, requests with sincerest intent for Remedy that

the Court grant Relief to Defendant for late fees, administartive fees, costs of court fees, attorneys'

fees and any & all other and further relief, both general and special, that the Plantiff, with intentional

prejudice, may show justily entititled.

FREDABRASHERWHITEis currently stating Non—Waiverof right to seek Legal Counsel and

Representation in this matter at some time in the future.

FREDABRASHER WHITE, as Defendent for good cause, prays for against the Plantiff,

Primrose at Heritage Park, due to Untimely and Late Notice of Appearance of Councel for Plantiff,

Primrose at Heritage Park. Certified Mail signed Receipt with show evidence of this Untimely and Late

BRASHERWHITE,as Defendent for good cause, prays for Relief Judgment against the Piantiff,

at Heritage Park, due to Plantiff and their Counsel Contest of Defendant's Motion for

BRASHERWHITE,as Defendent for good cause, prays for Relief Judgment against the Plantiff,

at Heritage Park, due Plantiff and their Counsel NON-Notice to Defendant, Freda Brasher

White, of Default Judgment from May 11, 2015 hearing in County Civil Court at Law No. Four, Harris

County, Texas under the above named Docket number.

FREDABRASHERWHITE,as Defendent for good cause, prays for Relief Judgment against the Plantiff,

Primrose at Heritage Park, and their Counsel; That these named parties with prejudice violated

Defendant's legal rights under Texas Rules of CivilProcedure 124.

FREDABRASHERWHITE,as Defendent for good cause, prays for Relief Judgment against the Plantiff,

Primrose at Heritage Park, by granting of requested Pauper's Affadivit with Defendant' proven

inability to pay, of Attorneys' fees and Plantiff's supplementation of requested relief with May 11,

2015 Default Judgment against this Defendant.

DocketNumber:1061446 § INTHECOUNTYCIVILCOURT HERITAGEPARK at LAWNO. FOUR(4)

§ HARRISCOUNTY,TEXAS WHITE

BRASHERWHITE,for good cause, is filing this Motion while seeking treatment and

surgical intervention for Li-Fraumeni Syndrome.

Respectfully,

FREDABRASHERWHITE,ProSe

10335OldBammelN.HoustonRoad#4204

Houston, Texas 77086

NOTICE:THISDOCUMENTCONTAINSSENSITIVEDATA

’I that the this document are true

Signature

ddress

(Daytime)

SUBSCRIBEDAND TOBEFOREme

this day of ,20 .

NOTARYPUBLICfor the State of Texas

-

' ·

DEFENDANT'SPAUPER'SAFFIDAVITFORAPPEAL TEXAS

· BEFOREM the authority, on this day personally appeared , who, being byme duly sworn, on oath stated:

"My

premises which is the subject of this suit. I wish to appeal the judgment of this court

pursuant to Rule 749a of the Texas Rules of Civil Procedure and Section of the

Texas Property Code. My income, property, monthly expenses, debts, and dependents are

described below:

n 1 A n $ a) Net Employment:

b) Spouse Income (available to me):$

c) TANFIncome: ' *7 $

d) SSI/SSDI Income:

e) Other Income $ -

a) Vehicles [make/yr) Appx Balance ofVehicleLoan:$ Appx Balance of Vehicle Loan: $ b) Checking Account: Savings Account: $ Cash: $

c) Other real or personal property (excluding ousehold furnishing, clothes, tools of a

trade, and personal effects):

1 of 1 portion]:

Rent Food: Laundry:Appliance/Furniture:|

Car ChildCare/Support: Clothing/ Medical/ Dental:

Transportation: .

Insurance: Utilities:

ChildSupport: Other: Other: Resientialddess

CreditCard: Other:

Payday Loan:

Spouse Child 3Child4OtherI

Child1 /

am unable to pay any part of the costs of appeal, file an appeal bond, or give security for

appeal because of my financial condition. I verify that the statements made in this aretrueandcorrect."SignaturePrinted

Name Address

Phone Number [Daytime] day of SUBSCRIBEDANDSWORNTO BEFOREme on this 20 . 2 of

NOTARYPUBLICfortheStateofTexas

NOTICE:THISDOCUMENTCONTAINSSENSITIVE

· ""he will inthe Cause whenyou thisform.) Inthe: Petitioner! ' ounty Court

CourtNum r Justiceofthe Respondent! Defendant County,Texas

Unsworn Declaration of Indigency

1. I am filingthis Unsworn Declaration of Indigency in place of an Aftidavit of Indigency as

allowed by Section 132.001 of the Texas Civil Practices and Remedies Code.

2. I am unable to pay court costs. I declare under of that the statements made in this Unsworn Declaration of Indigency are true and correct.

My name rs: . First Mi die Last My date of birth is: I I Month Day Year Myaddress . Street Addres City State Zip Country My email address is: .

4. Government Entitlements one.)

I do not currently receive any government entitlements based on indigency (poverty). receive the following government entitlements based on indi|enc (poverty): *9 |nt entitlements based on indigency include but are not limited t|. ood - - WIC Chip, AABD, Needs-based VAP| sion Public Housing, ss s ance, County |un ealth are, |neral Assistance, LISin Medica CommunityCare via DADS,Low-Income EmergencyAssistance,Child are |ssistance underChildCareand Development =oc . List all government entitlements based on indigency received by you or your dependents and the dollar ofthe ifa| proofofthegovemment entitlements receivedtothi| Na elit PersonGettingtheBenefit Dollr 5. Incomea. My n monthly income from employment (after taxes) is: $ I am not currently employed or self—empIoyed. or , sp use’s net monthly income (after taxes) is:

, ' I am not married. My spouse’s income is not available to me. or

c. A other income I receive is listed below: List sourceofincome(i.e.unemployment, social security, interest, dividends, child support, spousal support) and the monthly amount you recei e '

© TexasLawHeIp.org, Declaration of December 2014 Page 1 of 2 Texas Rules of CivilProcedure, Rule 145 and Texas CivilPractice &Remedies Code, Rule 132.001

`ll 6. —The people who depend on me financiallyare listed below:

Relationship Me '. Property —l own the following property:

List the property and its value - the amount the property would sell for less the amount you still owe on it. lf there is no property in a particular category,

BankAccounts (listbank,typeof_accountand amountof$ inaccount)

(list m and

Real - H0 e 0r Land (do not list the house you live in)

Other of Value (likeboats, jewelry, stocks, |_

,_ ’ —-l lTlOriuuy 0.

Rentl Mortgage Insurance (auto, life,health, etc.)

Food $ Vehicle ents

Utilities(electric/gas) Gas,

Telephone $ Child support l spousal $

Clothing and laundry Other expensesldebts: $ (descri e)

Medical,dental expenses

Childcare, school tuition $ $

Household supplies $ Total monthly expenses:

9. Additional information

Li t ny other facts you wan the know, such as unusual medical expenses, family emergencies, etc.

10. Formally signed under penalty of perjury in County, Texas n this date: l

Signature © TexasLawHe|p.org- Declarationof Indlgency,December 2014 Page 2 of 2 Texas Rules of Civil Rule 145 and Texas CivilPractice &Remedies Code, Rule 132.001

of Service l willgive a copy of this document to the PIaintiff’s attorney or the Plaintiff(ifthe Plaintiffdoes

not have an attorney) on the same day this document is tiled with (turned into) the Court as

follows:

If I filethis document electronically, l willsend a copy of it to the Plaintiffor the Plaintiffs

attorney through the electronic file manager if possible. lf not possible, I willgive a copy to the

Plaintiff or the Plaintiffs attorney in person, by mall, by commercial delivery service, by fax, or byemail.

Ifl file a paper copy of this document, l will give a copy of it to the Plaintiff or the Plaintiff’s attorney in person, by mail, by commercial delivery service, by fax, or by email.

Defendant’s Signature

© TexasLawHeIp.org,Civil February 2014 Page 2 of 2

fillingout this form, read the Answer informationSheet at In the County at HERITAGEPARK Court

at LawNo. Four (4) WHITE Harris County, Texas Judge

ROBERTALLOYD, DocketNumber:1061446

I, Freda Brasher White, Pro Se Litigant, do certify that a true copy of this Motion for Appeal was or will

be served on Counsel for PrimRose at Heritage Park Apartments, Attorneys of The Cweren Law

Firm including Brian P. Cweren, Scott H. Fournier, and/or the appointed representative by FAX

DELIVERYand via U.S. Postal Service 1st Class Mail in accordance with the Texas Rules of Civil

Procedure on May 27th, 2015.

RespondentFREDA

BRASHERWHITE,Pro

10335 Old Bammel N. Houston Rd, #4204

Houston, Texas 77086

at HERITAGEPARK In the County CivilCourt

at Law No. Four (4) WHITE Harris County, Texas

ROBERTALLOYD, Judge

Docket Number: 1061446 *13 Certificateof Service I, Freda Brasher White, Pro Se Litigant, do that a true copy of this Motion for Revocation of

Writ of Possession was or will be served on Counsel for PrimRose at Heritage Park

Apartments, Attorneys of The Cweren Law Firm including Brian P. Cweren, Scott H. Fournier, and/or

the appointed representative by FAXDELIVERYand via U.S. Postal Service 1st Class Mail in accordance

with the Texas Rules of CivilProcedure on May 27th, 2015.

Respondent

Se|

FREDABRASHERWHITE,Pro

10335 Old Bammel N. Houston Rd, #4204

Houston, Texas Inthe CountyCivilCourt

at HERITAGEPARK

at Law No. Four (4) Harris Texas *14 Judge ROBERTALLOYD,

DocketNumber:1061446

I, Freda Brasher White, Pro Se Litigant, do certify that a true copy of this Motion for Revocation of

Writ of Possession was or will be served on PrimRose at Heritage Park Apartments, Manager Blanca

Munoz, Assistant Manager Sylvia Espinoza, and/or the appointed representative by HANDDELIVERYat location for afore mentioned apartment complex at 10335 Old Bammel North

the onsite

Houston Road, Houston, Texas, 77086 in accordance with the Texas Rules of CivilProcedure on May

27th, 2015.

Respondent

Se|

FREDA BRASHERWHITE, Pro

10335 Old Bammel N. Houston Rd, #4204

Houston, Texas

at HERITAGEPARK Inthe CountyCivilCourt

at Law No. Four (4) *15 HarrisCounty,Texas WHITE

ROBERTALLOYD,

DocketNumber:1061446 Certificateof Service Freda Brasher White, Pro Se Litigant, do certify that a true copy of this Motion for Paupers Affadavit

was or will be served on PrimRose at Heritage Park Apartments, Manager Blanca Munoz, Assistant

Manager Sylvia Espinoza, and/or the appointed representative by HANDDELIVERYat the onsite

location for afore mentioned apartment complex at 10335 Old Bammel North Houston

Houston, Texas, 77086 in accordance with the Texas Rules of Civil Procedure on May 27th, 2015.

RespondentFREDA

BRASHERWHITE,Pro

10335 Old Bammel N. Houston Rd, #4204

Houston, Texas

Inthe CountyCivilCourt

at HERITAGEPARK

at Law No. Four (4) Harris Texas ROBERTALLOYD,

Docket Number: 1061446 Certificate of Service l, Freda Brasher White, Pro Se Litigant, do certify that a true copy of this Motion for Paupers

was or will be served on Counsel for Plantiff, PrimRose at Heritage Park Apartments, Attorneys of The

Cweren Law Firm including Brian P. Cweren, Scott H. Fournier, and/or the appointed representative by

FAXDELIVERYand via U.S. Postal Service 1st Class Mail in accordance with the Texas Rules of Civil

Procedure on May 27th, 2015.

Respondent -

FREDABRASHERWHITE,ProSe

10335 Old Bammel N. Houston Rd, #4204

Houston, Texas 77086

“CLOSED"

,

1061446 IN THE COUNTY CIVIL COURT § PRIMROSE AT HERITAGE PARK

§ AT LAW NUMBER FOUR (4) §

VS.

FREDA WHITE AND ALL HARRISCOUNTY,TEXAS § OTHEROCCUPANTS

IT REMEMBERED that on this day came on to be heard the above-entitled and and Plaintiff PRIMROSE AT HERITAGE PARK ("Plaintiff’) appeared before numbered ready for trial. Defendant FREDA WHITE and All Other Occupants the Court and

·

(collectively referred to as "Defendant") failed to appear and wholly made default at the time of

trial.The

Court, after considering the pleadings on file, the evidence presented at trial and the that: (l) Plaintiff is the owner and landlord arguments of the parties, is of the opinion and

of and the Defendantis the tenantof the residentialleasedpremiseslocatedwithinCountyCivil

Court at Law Number Four (4), of Harris County, Texas at 10335 Old Bammel North Houston Texas 77086, ("Leased Premises"); (2)

Road, Apartment Number 4204, Houston, Harris

Plaintiff terminated the Defendant’s right to occupy the Leased Premises; (3) Plaintiff made

writtendemandupon the Defendantand all occupantsof the Leased Premisesto vacate same,

which demand was received by the Defendant as required by law; (4) the Defendant is thereby

guilty of forcible detainer; (5) Plaintiff is entitled to immediate possession of the Leased

Premises from the Defendant and all occupants of the Leased Premises; (6) Plaintiff is entitled to

recover any and all past due rental amounts due from the Defendant and all occupants of the

Leased Premises; (7) Plaintiff is entitled to recover its costs of court from the Defendant and all *18 is entitled to recover its attomeys’ fees and

of the Leased Premises; and (8) litigationcostsnecessaryand reasonablyincurredby the prosecutionof this causeof actionfrom

the Defendant and all occupants of the Leased Premises. It is therefore, PRIMROSEATHERITAGE

ORDERED,ADJUDGEDandDECREEDthat after awarded possession hereby is

PARK shall be and on or , 2015,of the LeasedPremiseslocatedat 10335Old

/

BammelN hHoustonRoad,ApartmentNumber4204,Houston, County,Texas77086,

from FREDA WHITE and All Other Occupants, jointly and severally; it is, ‘.| A A

. ·· ·• o1mme|1ae •• · - · · .

ORDERED, ADJUDGED and DECREED that Defendant FREDA WHITE shall pay to in past due rental

Plaintiff PRIMROSE AT HERITAGE PARK

amounts properly due and owing Plaintiff PRIMROSE AT HERITAGE PARK pursuant to the from the date

terms of the Lease, with interest thereon at the rate of five (5%) percent per

of this Judgment until paid; it is,

ORDERED, ADJUDGED and DECREED that Defendant FREDA WHITE shall pay to

Plaintiff PRIMROSE AT HERITAGE PARK all its costs of court, together with post-judgment

interest thereon at the rate of five (5%) percent per annum from the date of this Judgment

paid; it is, further,

ORDERED, ADJUDGED and DECREED that Defendant FREDA WHITE shall pay to

the Plaintiff PRIMROSE AT HERITAGE PARK $ in attorneys’ by the prosecution of this cause of

fees and litigation costs necessary and reasonably

action, pursuant to the terms of the lease, with interest thereon at the rate of five (5%) percent per

from the date of this Judgment until paid; it is further,

ORDERED, ADJUDGED and DECREED that Plaintiff PRIMROSE AT HERITAGE from Defendant FREDA WHITE additional attorneys’ fees in the

PARK shall have and

followingamounts: $7,500.00in the event of an unsuccessfulappeal by DefendantFREDA

WHITE to the Court of Appeals; an additional $7,500.00 for making or responding to an

unsuccessfulpetitionfor reviewto the SupremeCourtof Texas; and an additional$7,500.00if Interest on said sum for

the petition for review is granted by the Supreme Court of Texas. from the date of this

attorneys’ fees shall accrue at the rate of percent (5%) per

Judgment until paid; it is further,

ORDERED, ADJUDGED and DECREED that in the event of an appeal of this

Judgment, Defendant FREDA WHITE’s supersedeas bond is hereby set at ten (10) times the and

market rent for Defendant’s apartment, in the amount of $ ·

shall be posted within ten (10) days of the date of this Judgment in the form of cash, cashier’s

check, or by and through a corporate surety licensed for such purposes and doing business in the

State of Texas; and, disposes of all claims and all parties and is appealable.

This judgment day of May, 2015. SIGNED on this *20 18 APPROVED AND ENTRY REQUESTED:

LAWFIRM

P.

State Bar No. 24001956

H.

StateBarNo. 24085312

3311 Richmond, Suite 305

Houston, Texas 77098 (713) 622-2111

Telephone: (713) 622-21

Facsimile:

FOR PLAINTIFF,

PRIMROSE AT HERITAGE

At the time of foundto be for photographic reproduction of Iiiegibllity, or photo copy,discoiored paper. etc. AHblockouts, and changes at the the instrumentwas and recorded.

Case Details

Case Name: Freda White v. Primose at Heritage Park
Court Name: Court of Appeals of Texas
Date Published: May 28, 2015
Docket Number: 14-15-00458-CV
Court Abbreviation: Tex. App.
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