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  • IN RE: PETITION OF LAUREN FORSYTHE REQUESTING DEPOSTION BEFORE SUIT PURSUANT TO RULE 202OTHER (CIVIL) document preview
  • IN RE: PETITION OF LAUREN FORSYTHE REQUESTING DEPOSTION BEFORE SUIT PURSUANT TO RULE 202OTHER (CIVIL) document preview
  • IN RE: PETITION OF LAUREN FORSYTHE REQUESTING DEPOSTION BEFORE SUIT PURSUANT TO RULE 202OTHER (CIVIL) document preview
  • IN RE: PETITION OF LAUREN FORSYTHE REQUESTING DEPOSTION BEFORE SUIT PURSUANT TO RULE 202OTHER (CIVIL) document preview
  • IN RE: PETITION OF LAUREN FORSYTHE REQUESTING DEPOSTION BEFORE SUIT PURSUANT TO RULE 202OTHER (CIVIL) document preview
  • IN RE: PETITION OF LAUREN FORSYTHE REQUESTING DEPOSTION BEFORE SUIT PURSUANT TO RULE 202OTHER (CIVIL) document preview
						
                                

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FILED 12/8/202111:53 AM FELICIA PITRE DISTRICT CLERK DALLAS CO., TEXAS Treva Parker-Ayodele DEPUTY CAUSE NO. DC-21-10267 IN RE IN THE DISTRICT COURT PETITION OF LAUREN FORSYTHE 192ND JUDICIAL DISTRICT REQUESTING DEPOSITION BEFORE SUIT PURSUANT TO RULE 202 DALLAS COUNTY, TEXAS DEFENDANT BRAD BEVILL’S OBJECTION TO ASSIGNED JUDGE This Objection to Assigned Judge is brought by BRAD BEVILL, Defendant, who shows in support: 1. In accordance With section 74.053 of the Texas Government Code, Brad Bevill objects to the assignment of Judge Ray Wheless to hear this case. 2. Brad Bevill received actual notice of the assignment of Judge Ray Wheless on December 3, 2021. This objection, which is being filed no later than the seventh day after that date and before the first hearing or trial over which the assigned judge is to preside, is timely. 3. This is the first objection filed under section 74.053 of the Government Code by Brad Bevill. 4. In accordance with section 74.053 of the Texas Government Code, the assigned judge shall not hear the case. Defendant BRAD BEVILL requests that this case be reset on the docket of the regular sitting judge of this Court. Defendant Brad Bevill’s Objection to Assigned Judge Page 1 of 2 Respectfully submitted, LAW OFFICE 0F RONALD D. CROSS, P.C. BBAZM/gw Ronald D. Cross Texas Bar No. 00787305 Ron@RonCrossLaw.com 5601 Democracy Dr., Suite 140 Plano, Texas 75024 Phone: 214-501-5789 Fax: 214-778-1028 Attorney for DEFENDANT BRAD BEVILL Certificate 0f Service I certify that a true copy of this pleading was served in accordance with Rule 21a of the TEXAS RULES 0F CIVIL PROCEDURE on the following on December 8, 2021: Andrew Jee by electronic filing manager to service@andrewjee.com Kira White by electronic filing manager to service@andrewjee.com Ronald D. flross § Attorney for DEFENDANT BRAD BEVILL Defendant Brad Bevill’s Objection to Assigned Judge Page 2 of 2 Automated Certificate of eService This automated certificate of service was created by the efiling system. The filer served this document via email generated by the efiling system on the date and to the persons listed below. The rules governing certificates of service have not changed. Filers must still provide a certificate of service that complies with all applicable rules. Kylie McDaniel on behalf of Ronald Cross Bar No. 787305 kylie@roncrosslaw.com Envelope ID: 59824646 Status as of 12/8/2021 3:07 PM CST Associated Case Party: BRAD BEVILL Name BarNumber Email TimestampSubmitted Status Ronald DCross ron@roncrosslaw.com 12/8/2021 11:53:19 AM SENT Tish Johnson tish@roncrosslaw.com 12/8/2021 11:53:19 AM SENT Case Contacts Name BarN um ber Email TimestampSubmitted Status Andrew Jee (E-Service Account) service@andrewjee.com 12/8/2021 11:53:19 AM SENT