On October 04, 2012 a
Motion,Ex Parte
was filed
in the District Court of Payne County.
Preview
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*1044390982* FILB Or/@homa
IN THE DISTRICT COURT OF PAYNE COUNTY Ocr 18 2019
STATE OF OKLAHOMA By, LORI Aten, Cou
* Court Clerk
IN RE THE MARRIAGE OF ) Se
)
BRAD J. KASTL ) CASE NO. FD-2012-431
Petitioner, )
And )
)
LORI J. KASTL, )
Respondent, )
MOTION TO PRODUCE
TO: Respondent, LORI J. KATSL
Pursuant to the Oklahoma Discovery Code, 12 0.S. 3224 et seq.,
Petitioner submits the following discovery requests to Respondent. As used
herein, the term “you” or “your” includes you personally and, Additionally, any
agent, attorney, accountant, consultant or other person acting or purporting to
act for you or on your behalf, whether now or formerly.
In the event that privilege (including work product) is claimed
concerning any question or request made herein, please describe the nature of
the privilege claimed; provide the name of the person with whom such privilege is
claimed; describe the information sufficiently to identify and explain the basis for
the privilege claimed; and if a document is claimed to be privileged state the
present location of the same and names, addresses and telephone number ofeach person who has seen the document before the date these discovery
requests.
Pursuant to 12 0.S. 3234, Petitioners’ requests that Respondent
produce for Petitioner's inspecting and/or copying, at office Of Petitioner’s
undersigned attorney, within thirty (30) days following your receipt of these
requests, the following:
Request for Production No. 1: Produce your 2018 tax return, or proof of 2018
income if a return has not been filed, as well as your 2019 Year to Date income
information.
Request for Production No. 2: Produce proof of any and all 1099’s, proof of sale
&/Or closings on properties, commission checks issued to your by your employer
for 2018 and 2019.
Appfo' Ve
1m Ga Geys Tont
Och z Law, PLLC
109 % N. Division St.
Guthrie, OK 73044
Jill@ochs-tontzlaw.com
Attorney for PetitionerCERTIFICATE OF SERVICE
| do hereby certify that on the \ 8 day of October, 2019, a true, correct and
exact copy of the above and foregoing instrument was:
rail
Faxed
Hand-Delivered
LY Mailed with proper postage thereon
Mailed via certified mail
To: Melissa DeLacerda
301 S. Duck
P.O. Box 1252
Stillwater, Ok 74076
Attorney for Respondent
Jil -Tontz
Document Filed Date
October 18, 2019
Case Filing Date
October 04, 2012
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