On April 16, 2021 a
Motion-Secondary
was filed
involving a dispute between
Evans, Aretha,
Evans, Tony, Sr.,
Perkins, Monique,
Tanksley, Faith,
Williams, Deon,
and
Choudhury , Mmarooful,
Diamond Staffing Services, Llc,
Hawthorn Suites Franchising, Inc.,
Jain , Sanjeev,
Noshahi, Mohammad Sadiq,
Tasacom Real Estate, Llc,
Tasacom Technologies Inc,
Wyndham Hotel Group, Llc,
Wyndham Hotels & Resorts, Inc.,
for OTHER PERSONAL INJURY
in the District Court of Dallas County.
Preview
CAUSE NO. DC-21-04901
TONY EVANS SR., and ARETHA EVANS, IN THE DISTRICT COURT
§§§§§§§§§§§§§§§§§§§§§§§
Individually and on behalf of their minor son,
T.E., deceased, FAITH TANKSLEY on behalf of
minor T.E., III, Individually and on behalf of
His father, T.E., deceased and
DEON WILLIAMS,
Plaintiffs,
v. 162ND JUDICIAL DISTRICT
TASACOM REAL ESTATE, LLC d/b/a
HAWTHORN SUITES DALLAS LOVE FIELD
HAWTHORN SUITES FRANCHISING, INC.,
WYNDHAM HOTELS & RESORTS, INC.,
MOHAMMAD SADIQ NOSHAHI,
DIAMOND STAFFING SERVICES, LLC,
WYNDHAM HOTEL GROUP, LLC,
TASACOM TECHNOLOGIES, INC.
SANJEEV JAIN and
MMAROOFUL CHOUDHURY,
Defendants. DALLAS COUNTY, TEXAS
DEFENDANT TASACOM REAL ESTATE, LLC D/B/A HAWTHORN SUITES DALLAS
LOVE FIELD’S PROPOSED ORDER ON MOTION TO SEVER AND ABATE
PLAINTIFFS’ ALTER EGO CLAIMS FROM UNDERLYING LIABILITY CLAIMS
On this the _ day of , 2023 came to be considered Defendant
Tasacom Real Estate, LLC d/b/a Hawthorn Suits Dallas Love Field’s Motion to Sever and
Abate Plaintiffs’ Alter Ego Claims From Underlying Liability Claims (“Motion”). The Court,
having considered the Motion, finds that the motion should be in all things GRANTED.
Accordingly, Defendant Tasacom Real Estate, LLC d/b/a Hawthorn Suits Dallas Love
Field’s Motion to Sever and Abate Plaintiffs’ Alter Ego Claims From Underlying Liability
Claims is hereby GRANTED.
12400918v1
12777.002
Further, it is ORDERED that each and all of Plaintiff’s alter ego claims are hereby severed
from the underlying and above-entitled suit, as to Defendant Tasacom Real Estate d/b/a
Hawthorn Suits Dallas Love Field, and each and every alter ego claim Plaintiffs have against
any and all parties to this action, until such time as the trier of fact finds one or more Defendants
in this case liable to Plaintiffs on their underlying liability claims.
It is further ORDERED that the District Clerk is directed to create a new cause number for
the severed action consisting of Plaintiffs’ alter ego claims, only at such time that the District
Clerk receives notice that one or more Defendants in this case have been found liable to
Plaintiffs on Plaintiffs underlying liability claims.
SIGNED this the _ day of , 2023.
THE HONOMBLE ASHLEY WYSOCKI
12400918v1
12777.002
Document Filed Date
May 08, 2023
Case Filing Date
April 16, 2021
Category
OTHER PERSONAL INJURY
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