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  • In the Matter of the Marriage of 
Dena M Taylor and 
Vernon Wayne Taylor
 and In the Interest of Faith Gale TaylorDivorce with Children document preview
  • In the Matter of the Marriage of 
Dena M Taylor and 
Vernon Wayne Taylor
 and In the Interest of Faith Gale TaylorDivorce with Children document preview
  • In the Matter of the Marriage of 
Dena M Taylor and 
Vernon Wayne Taylor
 and In the Interest of Faith Gale TaylorDivorce with Children document preview
  • In the Matter of the Marriage of 
Dena M Taylor and 
Vernon Wayne Taylor
 and In the Interest of Faith Gale TaylorDivorce with Children document preview
  • In the Matter of the Marriage of 
Dena M Taylor and 
Vernon Wayne Taylor
 and In the Interest of Faith Gale TaylorDivorce with Children document preview
  • In the Matter of the Marriage of 
Dena M Taylor and 
Vernon Wayne Taylor
 and In the Interest of Faith Gale TaylorDivorce with Children document preview
						
                                

Preview

NO. 20-10-12476 DENA M. TAYLOR § IN THE DISTRICT COURT § AND § 418TH JUDICIAL DISTRICT § VERNON WAYNE TAYLOR § MONTGOMERY COUNTY, TEXAS AGREED MOTION TO VACATE PROTECTIVE ORDERS This Motion to Vacate Protective Order is brought by Dena M. Taylor, original applicant and movant, a party to the protective orders, “Agreed Final Protective Order,” signed by this Court on December 3, 2020, and “Agreed Modified Final Protective Order,” signed by this Court on May 26, 2021, who shows in support: In the interest of justice, Vernon Wayne Taylor requests the Court to vacate the protective orders, Agreed Final Protective Order,” signed by this Court on December 3, 2020, and “Agreed Modified Final Protective Order,” signed by this Court on May 26, 2021, for the reasons stated below: 1. Applicant and Respondent, Vernon Wayne Taylor, have reconciled. 2. Applicant does not believe that Respondent, Vernon Wayne Taylor, poses any threat to applicant or other protected persons listed in the protective orders referenced above. 3. Applicant, of her own free will and volition, wishes for the above referenced protective orders to be vacated. Dena M. Taylor prays the Court grant this Motion to Vacate Protective Orders. Motion to Vacate Protective Order 1 Respectfully submitted, THE HARRISON FIRM, PLL C215 Simonton Street CONROE, TX 77301 Tel: (936) 828-3898 Fax: (936) 828-3965 By: William E. Harrison State Bar No. 00789780 E-mail: conroeattorney@yahoo.com Attorney for Movant/Applicant Motion to Vacate Protective Order 2 Notice of Hearing The above motion is set for hearing on ___________________ at __________ ____.M. in the 418th Judicial District Court, Montgomery County, Texas, 301 N. Main Street, Conroe, Texas 77301. SIGNED on . Judge Certificate of Service I certify that a true copy of this Motion to Vacate Protective Orders was served in accordance with rule 21a of the Texas Rules of Civil Procedure on the following on January 13, 2022: Vernon Wayne Taylor, Respondent, by electronic filing manager. William E. Harrison Attorney for Dena M. Taylor Motion to Vacate Protective Order 3