On April 30, 2019 a
Motion-Secondary
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
DR. DENISE DEE WHISLER I L
SUPERIORF
3405 HIDALGO DRIVE comm 8:932; SEérfi‘k‘aFfifiS'A
SAN BERNARDINO, CA 92404-2035 SAN BERNARD'NO D'STR'CT
Cell: (909) 882-3655 (text to leave message) JUN 1 4 2021
Email: drlwhisler@gmail.c0m
-
-
Plaintiff, In Pro Per
BY
DANIELglERLEIN. DEPUTY
wmflOEUIACONH
SUPERIOR COURT OF CALIFORNIA
COUNTY OF SAN BERNARDINO
DR. DENISE DEE WHISLER, ) Case No.1 CIVD81913252
In Pro Per, Assigned to the Hon. Janet M. Frangie, Dept 829
Plaintiff DECLARATION BY DR. DENISE WHISLER
VS.
IN SUPPORT 0F EXPARTE APPLICATION
T0 VACATE COURT ORDERED DISMISSAL
{VI?QHT, FINLAY & ZAK,
Filed Herewithi
JPMORGAN CHASE BANK, 1) Ex Parte Application
N.A.§ and 2) Memorandum 0f Points & Authorities
DOES 2'50, inclusive.
VVVVVVVVVVVVVVVVVVV
3) Declaration of EX Part9 Service
Defendants
4) [PROPOSED] Order
Complaint filedi April 30, 2019
Related case: UDFSl902254
Hearing:
NMNNNNNNNI—II—Ir—Ar—II—ll—II—‘I—AHI—I
Datei June 14, 2021
Time: 9300 a.m.
mqamAwNHowmqwmfith—to
Dept. 829
I, DR. DENISE DEE WHISLER, declare as followsi
1. I am the Plaintiff, in pro per, in the matter 0f case CIVDSl913252.
The statements made herein are made on the basis of my own personal know-
ledge, and I could, and would, competently testify thereto if called upon to do s0.
2. This case was filed on April 30, 2019. The hearing is on June 14, 2021
at 9300 am in Department 829.
3. This Declaration is in support 0f the “Motion t0 Vacate Court Ordered
0119121119331”a11d EX Part6 Application. Much of this Declaration is repeated in the
Memorandum 0f Points and Authorities.
1
DECLARATION BY DR. WHISLER ISO EX PARTE APPLICATION
CIVDS 19 1325
4. Dr. Denise Dee Whisler, is the first person ever t0 own 1225 Brookside
Ave, Redlands, CA With Title: With Property, With APN of about one acre
that includes 1224
Magnolia Ave, and also “address” 1224 Magnolia Ave, Redlands, CA N0 Title’NO
PropertWNO APN.
Anyone purchasing the “address” 1224 Magnolia Ave, Redlands N0
wmflfimhhwwbd
Title’NO Property,“ APN, associated with Dr. Denise Whisler’ss‘fle Trus‘m
Magnolia Ave D.O.T.N° Title:NO Property’NO APN doc.no. 2008-0218372, recorded
m 2003
04/03/2003 and Dr. Denise Whisler’sSOIe TNSW
TitleaNO Property,“ APN doc.no. 2005-0524454,
recorded 07/20/2005
m 2005 Magnolia Ave D.O.T.
is purchasing a pig in
N0
a poke, Brooklyn Bridge, nothing to get so non-bona fide
purchaser, and Dr.
Whisler keeps the property With title, 1225 Brookside Ave from Brookside Ave to
Magnolia Ave, and the purchase money. Such is the fate 0f a Brooklyn Bridge
purchaser.
DECLARATION BY PLAINTIFF DR. DENISE DEE WHISLER
IN SUPPORT OF MOTION AND EX PARTE APPLICATION
5. Comes now Plaintiff, Dr. Denise Dee Whisler, in pro per. I am
more than18 years 01d, have proudly served two U.S. Federal tours as a
Commissioned Officer — am a Cal. Vet, and a legal resident of California. The facts
NNNNNNNNMI—It—An—IHHr—II—AHHI—A
mqamAmNHowmqmmfiwwv—Io
set forth herein are 0f my own personal knowledge, and if sworn I could & would
competently testify thereto. I come to defend and support my Motion to Vacate the
[“Unofficial”] Court Ordered Dismissal.
6. Plaintiff Dr. Denise Dee Whisler declares as followsi
7. That Plaintiffs Motion for [“Unofficial”] Court Ordered Dismissal,
and Memorandum 0f Points and Authorities be accepted as if repeated herein in
entirety for use in support of Motion, as Plaintiff has written and is cognizant 0f
all matters and documents filed by Plaintiff in this case CIVDSl913252,
as well as
all matters and documents filed by Plaintiff in related case Unlawful
Detainer
UDF81902254.
/\
Respectfully submitted 06/14/2021.
,
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[K&LM I
Dr. Denise Dee Whisler, Plaintiff, in Pro Per
2
DECLARATION BY DR. WHISLER ISO EX PARTE APPLICATION
CIVD8191325