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  • LANE, RYAN W vs. HEALING FAVOR INVESTMENTS LLC HOMEOWNERS ASSOCIATION document preview
  • LANE, RYAN W vs. HEALING FAVOR INVESTMENTS LLC HOMEOWNERS ASSOCIATION document preview
  • LANE, RYAN W vs. HEALING FAVOR INVESTMENTS LLC HOMEOWNERS ASSOCIATION document preview
  • LANE, RYAN W vs. HEALING FAVOR INVESTMENTS LLC HOMEOWNERS ASSOCIATION document preview
  • LANE, RYAN W vs. HEALING FAVOR INVESTMENTS LLC HOMEOWNERS ASSOCIATION document preview
  • LANE, RYAN W vs. HEALING FAVOR INVESTMENTS LLC HOMEOWNERS ASSOCIATION document preview
  • LANE, RYAN W vs. HEALING FAVOR INVESTMENTS LLC HOMEOWNERS ASSOCIATION document preview
  • LANE, RYAN W vs. HEALING FAVOR INVESTMENTS LLC HOMEOWNERS ASSOCIATION document preview
						
                                

Preview

NO. 2018-79647 LANE IN THE DISTRICT COURT V. HEALING FAVOR INVESTMENTS, 333RD JUDICIAL DISTRICT UNIQUE MICA GREEN OF HARRIS COUNTY, TEXAS JOINT STATUS REPORT COMES NOW, EALING AVOR NVESTMENTS , Defendant, and YAN ANE Plaintiff, and files this Joint Status Report. 1. On or about March 15, 2022, the Court GRANTED Plaintiff’s Motion to Dissolve the Temporary Injunction issued on July 3, 2020, which had previously restrained Plaintiff from foreclosing on the property subject of this suit, located at 4630 Perry Street, Houston, Texas 77021 (hereinafter the “Property”). 2. On September 27, 2022, the Bankruptcy Court entered a docket entry which allowed Healing Favor Investments, LLC, to foreclosure o the Property. The Property was foreclosed on in November 2022. 3. Plaintiff and Defendant are approaching the Trustee in Third Party Defendant, Unique Green’s, ankruptcy case with regard to purchasing Unique Green’s existing claims in this case, from the Bankruptcy Trustee. 4. In the event that Plaintiff and Defendant are successful in purchasing said claims from the Trustee, both are in agreement to dismiss those claims, rendering Unique Green’s involvement in this case unnecessary. Joint Status Report Page 1 of 3 5. Plaintiff and Defendant also expect to approach the Court with respect to appointing a real estate broker to list the Property, as they are in agreement to sell the recovered Property 6. With regard to the current April 24, 2023 trial setting, n the event that the Property sells, Plaintiff and Defendant believe there is a reasonable likelihood that a final resolution could be reached. Accordingly, Plaintiff and Defendant believe that it would be more efficient and a better use of the Court’s time to allow the parties sixty (60) days thereafter to resolve the case. Respectfully submitted, By: OBERT ARATE Texas Bar No. 24077561 Email: robert@garatelaw.com ARATE SSOCIATES PLLC 17049 El Camino Real, Suite 200 Houston, Texas 77058 Tel. 713.370.9700 Fax 713.223.1010 Attorney for Defendant /s/ Gus E. Pappas (with permission 4/18/2023 email) By: _________________________________ US APPAS State Bar No. 15454850 gus@dabneypappas.com ABNEY APPAS 1776 Yorktown, Suite 425 Houston, Texas 77056 Tel. 713-621-2678 Fax. 713-621-0074 Attorney for Plaintiff Joint Status Report Page 2 of 3 ERTIFICATE OF ERVICE I certify that a true copy of the above was served on each attorney of record or party in accordance with the Texas Rules of Civil Procedure on April 18, 2023. OBERT ARATE Joint Status Report Page 3 of 3