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  • In the Interest Sawyer Jacob Skelton, a Child Custody or Visitation document preview
  • In the Interest Sawyer Jacob Skelton, a Child Custody or Visitation document preview
  • In the Interest Sawyer Jacob Skelton, a Child Custody or Visitation document preview
  • In the Interest Sawyer Jacob Skelton, a Child Custody or Visitation document preview
  • In the Interest Sawyer Jacob Skelton, a Child Custody or Visitation document preview
  • In the Interest Sawyer Jacob Skelton, a Child Custody or Visitation document preview
						
                                

Preview

IN THE INTEREST OF IN THE DISTRICT COURT SAWYER JACOB SKELTON JUDICIAL DISTRICT A CHILD DENTON COUNTY, TEXAS MOTION TO SET TRIAL AND ENTER SCHEDULING ORDER NOW COMES, KENNEDY KATHRYN NORMAN Respondent/Movant and files this Motion to Set Final Trial and Enter Scheduling Order In support, KENNEDY KATHRYN NORMAN The setting o final trial by the Court is necessary as the parties have been able to coordinate a final trial setting. Current el for Petitioner stated on March 11, 2023 that they do not represent Petitioner and have not since 2020. However, there was no Mo n for Withdrawal of Counsel filed or an Order signed discharging ounsel for P titioner Counsel for Respondent has not been able to coordinate final trial dates due to this issue. case is currently set on the dismissal docket for April 2 The entry of a Scheduling Order is necessary to identify the dates and time by which certain actions must be taken prior to final trial. By entering a Scheduling rder this case ay be brought to imel resolution Respondent/Movant request final ial be set, and a Scheduling Order entered KENNEDY KATHRYN NORMAN, R spondent/Movant, prays t t the Cou grant the Motion Final Trial and Enter Scheduling Order. KENNEDY KATHRYN NORMAN Respondent/Movant, prays for general relief. Respectfully submitted, NAVARRETTE | BOWEN, P.C. 100 W. Oak St., Suite 301 Denton, Texas 76201 Tel: ( Fax: (940) 566 tion to Set Final Trial nter S heduling Order Page By: Eric A. Navarrette State Bar No. 24047242 eric@nbfamilylaw.com Attorney for KENNEDY NORMAN Certificate of Conference I certify that a reasonable attempt has been made to set this matter for final trial without the necessity of court intervention, to no avail. It is necessary to seek the Court’s intervention at this time. Eric A. Navarrette Attorney for KENNEDY KATHRYN NORMAN Certificate of Service 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 March 29, 2023. Eric A. Navarrette Attorney for KENNEDY KATHRYN NORMAN Motion to Set Final Trial and Enter Scheduling Order Page 2