arrow left
arrow right
  • BLUE MOUNTAIN PROPERTY VENTURES, LLC  vs.  BESSIE HARRISONCNTR CNSMR COM DEBT document preview
  • BLUE MOUNTAIN PROPERTY VENTURES, LLC  vs.  BESSIE HARRISONCNTR CNSMR COM DEBT document preview
  • BLUE MOUNTAIN PROPERTY VENTURES, LLC  vs.  BESSIE HARRISONCNTR CNSMR COM DEBT document preview
  • BLUE MOUNTAIN PROPERTY VENTURES, LLC  vs.  BESSIE HARRISONCNTR CNSMR COM DEBT document preview
  • BLUE MOUNTAIN PROPERTY VENTURES, LLC  vs.  BESSIE HARRISONCNTR CNSMR COM DEBT document preview
  • BLUE MOUNTAIN PROPERTY VENTURES, LLC  vs.  BESSIE HARRISONCNTR CNSMR COM DEBT document preview
						
                                

Preview

FILED 4/27/2023 1:39 PM FELICIA PITRE DISTRICT CLERK DALLAS 00., TEXAS Lafonda Sims DEPUTY DC-21-03339 BLUE MOUNTAIN PROPERTY * In the District Court VENTURES LLC * * V. * 298th Judicial District * BESSIE HARRISON * Dallas County, Texas DEFENDANT’S NOTICE OF PAST DUE FINDINGS OF FACT & CONCLUSIONS OF LAW T0 THE HONORABLE JUDGE 0F SAID COURT: Defendant Bessie Harrison gives the court notice that its findings of fact and conclusions of law are past due and asks the court to file findings of fact and conclusions of law. A. Introduction l. Plaintiff is Blue Mountain Property Ventures LLC. Defendant is Bessie Harrison. 2. The court signed a judgment on March 31, 2023. B. First Reguest 3. Defendant filed a timely request for findings of fact and conclusions of law on April 3, 2023. 4. The findings of fact and conclusions of law were due on April 23, 2023, 20 days after the request was filed. Tex. R. CiV. P. 297. C. Second Reguest 5. Defendant files this notice of past-due findings of fact and conclusions of law Within 30 days after its original request. Notice of Past Due Findings of Fact and Conclusions of Law - Page l of 2 6. This notice extends the date the findings of fact and conclusions of law are due until May 13, 2023, 4O days after the original request. 7. Defendant asks the court to file findings of fact and conclusions of law and require the court clerk to mail copies to all parties, as required by Texas Rule of Civil Procedure 297 Respectfully submitted, EDDLEMAN & CLARK 4627 North Central Expressway Knox Central Place, Suite 2000 Dallas, Texas 75205-4022 Phone 214.528.2400 Fax 214.528.2434 RMC@RobertMClark.net Wm M ROBERT M. CLARK State Bar No. 04298200 Attorney for Defendant Certificate of Service I certify that a true copy of the above was served on counsel for Plaintiff Landon H.Thompson at the Meazell Firm, 1400 Gables Court, Plano, TX 75075, Fax 972.398.8488, l.thompson@rneazellfirm.com in accordance with Rule 21a of the Texas Rules 0f Civil Procedure on the 27th day of April, 2023 MM. 4M Robert M. Clark Notice of Past Due Findings of Fact and Conclusions of Law - Page 2 of 2 Automated Certificate of eService This automated certificate of service was created by the efiling system. The filer served this document via email generated by the efiling system on the date and to the persons listed below. The rules governing certificates of service have not changed. Filers must still provide a certificate of service that complies with all applicable rules. Robert Clark on behalf of Robert Clark Bar No. 4298200 office@robertmclark.net Envelope ID: 75088083 Filing Code Description: Notice Past Due Finding Of Facts/COL Filing Description: Notice of Past Due FF and CL Status as of 4/27/2023 2:26 PM CST Associated Case Party: BLUE MOUNTAIN PROPERTY VENTURES, LLC Name BarNumber Email TimestampSubmitted Status John Meazell j.meazell@meazellfirm.com 4/27/2023 1:39:31 PM SENT Skyler N.Harrigan s.harrigan@meazellfirm.com 4/27/2023 1:39:31 PM SENT Landon H.Thompson l.thompson@meazellfirm.com 4/27/2023 1:39:31 PM SENT Ciara Manley c.manley@meazellfirm.com 4/27/2023 1:39:31 PM SENT