On April 30, 2019 a
Motion,Ex Parte
was filed
involving a dispute between
Whisler, Denise,
and
Bohart, Bonnie,
Bohart, Randy,
Herring, Michele,
Jp Morgan Chase Bank, Na,
Jpmorgan Chase Bank, Na,
Mabudian, Mohsen,
Redfin Corporation,
Wright, Finlay And Zak Llp,
Wright, Finley And Zak, Llp Attorneys At Law,
for Unlimited Civil Complaint - Real Property
in the District Court of San Bernardino County.
Preview
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FILED
SUPERIOR COURT OF CALIFORNIA
DR DENISE DEE WHISLER COUNTY OF q BERNARDINO
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3405 HIDALGO DRIVE
SAN BERNARDINO DISTRICT
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SAN BERNARDINO CA 92404 2035 NOV 21 2019
Cell 909 882 3655 Email drlwhisler@gmail com
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Plaintiff In Pro Per gy
DANIEL IERLEIN DEPUTY
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SUPERIOR COURT OF CALIFORNIA
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COUNTY OF SAN BERNARDINO
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DR DENISE WHISLER In Pro Per Case No CNDS1913252
Plaintiff DECLARATION BY DR DENISE WHISLER IN
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SUPPORT OF EXPARTE MOTION FOR STAY OF
vs JUDGEMENT EXECUTIONS UNTIL RENDITION BY
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THE MOST HONORABLE COURT JUDGE FOR CASE
WRIGHT FINLAY AND ZAK LLP NUMBER CIVDS1913252
lo and DOES 1 50 inclusive 1 STAY OF JUDGEMENT FOR UD UDFS1902254
A STAY OF EXECUTION OF EVICTION LOCKOUT
SCHEDULED FOR NOVEMBER 13 2019 6 Olam
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B STAY OF UD PAYMENT OF 7 306 00
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2 STAY OF EXECUTION OF ANY AND ALL ACTIONS
INCLUDING BUT NOT LIMITED TO
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A ANY SALE OF 1224 MAGNOLIA AVE
B ANY SALE OF 1225 BROOKSIDE AVE
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C ANY SALE OR OTHERWISE OF ANY WHISLER
PERSONAL BELONGINGS FURNITURE NATURE
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PLANTS ANIMALS
D ANY TRESPASSING DAMAGING REMOVING
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ANYTHING FROM 1225 BROOKSIDE AVE WHICH
INCLUDES 1224 MAGNOLIA AVE
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Related Case UDFS1902254
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Complaint Filed P Ib 30 2019
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Date F ay November 22 2019
Time 8 30 am
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Dept S29
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24 TO HONORABLE JUDGE OF THE SAN BERNARDINO COUNTY SUPERIOR COURT
2s 1 Comes now Plaintiff Dr Denise Dee Whisler due to exigent circumstances which require
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immediate STAY actions to humble plead for Court Judgement in favor of Plaintiff and grant Court stay
2 until after rendition of this Court case CNDS1913252
zs 2 Plaintiff is Dr Denise Dee Whisler I am over the age of 18 have served two U S Federal tours
CIVDS1913252 DECLARAT ON BY DR DENISE WH SLER N SUPPORT OF EXPARTE MOTION FOR STAY OF JUDGEMENT EXECUTIONS
UNTIL RENDITION BY THE MOST HONORABLE COURT JUDGE FOR CASE NUMBER CIVDS1913252 11 21 2019
i as a Commissioned Officer a California Veteran and I am a legal resident of California I have a Docto
2 of Public Health degree in Health Promotion and Education with Doctoral Cognates in Epidemiology an
3 Business Health Administration I am a research scientist epidemiologist health professional and
4 educator I love nature and the preservation of species and my address is Dr Denise Whisler 3405
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Hidalgo Dr San Bernardino CA 92404 2035 The facts set forth herein are of my own personal
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knowledge and if sworn I could and would competently testify thereto
INTRODUCTION
s 3 UPlaintiff Dr Denise Whisler seek prayers for relief for the Court granting of my EXPARTE
a MOTION FOR STAY OF NDGEMENT AND EXECUTIONS UNTIL RENDITION BY THE MOST
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HONORABLE COURT JUDGE FOR CASE NLIMBER CIVDS 1913252 I humbly requests that all of
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her Exparte Motion be included herefor as if stated in entirety and accepted by Court
i2 DECLARATION BY DR DENISE DEE WHISLER
13 4 I own and still occupy 1225 Brookside Ave Redlands CA which indudes
i4 1224 Magnolia Ave I have title as of 2005 to 1225 Brookside Ave Redlands CA which includes
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1224 Magnolia Ave JP Morgan Chase Bank NA CHASE only has right to my CHASE Home Equity
16 Loan of 142 999 90
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5 A Stay of Judgement is needed to avoid irreparable iniurv by the CHASE eviction lockout
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scheduled for November 13 2019 from my home prior to determination rendition of this civil suit
i 9 CIVDS 1913252
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6 The January 7 2019 Foreclosure Sale Auction was a wrongful foreclosure sale since
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conducted sold by a third party with no legal rights Civ Code Section 2924 subd a 1
22 7 Therefore the sale is void the TRUSTEES DEED UPON SALE is invalid and CHASE is not
23 the owner of 1224 Magnolia Ave Redlands CA 92373 Code Civ Proc Section 367
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8 Therefore I seek a 1 STAY OF JiJDGEMENT FOR UD UDFS1902254 A STAY OF
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EXECUTION OF EVICTION LOCKOUT SCHEDULED FOR NOVEMBER 13 2019 6 Olam and
26 B STAY OF UD PAYMENT OF 7 306 00
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9 I have had a flurry of realtors and people calling and coming onto her 1225 Brookside Ave
2s
property which includes 1224 Magnolia Ave seeking to enter my homes seeking to know contents of
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CIVDSl913252 DECLARATION BY DR DENISE WH SLER IN SUPPORT OF EXPARTE MOTION FOR STAY OF JUDGEMENT EXECUTIONS
UNT L RENDITION BY THE MOST HONORABLE COURT JUDGE FOR CASE NUMBER CIVDS1913252 11 21 2019
Document Filed Date
November 21, 2019
Case Filing Date
April 30, 2019
Category
Unlimited Civil Complaint - Real Property
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