arrow left
arrow right
  • Allen Truskowski vs. Susan RobertsonOther Civil - Over $250,000 document preview
  • Allen Truskowski vs. Susan RobertsonOther Civil - Over $250,000 document preview
  • Allen Truskowski vs. Susan RobertsonOther Civil - Over $250,000 document preview
  • Allen Truskowski vs. Susan RobertsonOther Civil - Over $250,000 document preview
  • Allen Truskowski vs. Susan RobertsonOther Civil - Over $250,000 document preview
  • Allen Truskowski vs. Susan RobertsonOther Civil - Over $250,000 document preview
  • Allen Truskowski vs. Susan RobertsonOther Civil - Over $250,000 document preview
  • Allen Truskowski vs. Susan RobertsonOther Civil - Over $250,000 document preview
						
                                

Preview

CAUSE NO: IN THE JUSTICE COURT Lawrence Albert Traw Karen Giselle Traw Plaintiffs V. Susan Robertson 284th Defendant DISTRICT COURT OF OF MONTGOMERY COUNTY, TEXAS AMENDMENT LAWRENCE A. TRAW AND KAREN G. TRAW FILES THIS JOINER PETITION TO THE HONERABLE RISTIN BAYS Lawrence Albert Tra and Karen Giselle Traw files this tion to ask Honorable permission to join the forementioned case as respectfully showing this court as follows: Lawrence aw and Karen Traw owners townhouse in Walden on Lake Conroe Section 7 address, 3842 Lakewood Dr. Montgomery, Texas 77356, wishes to join this complaint as Intervenors are asking the Honorable Court s permission to do so Lawrence Traw filed an election complaint with the Secretary of State as required by law, the complaint is an attachment as evidence for this case, therefore the Traws have an interest in this case as outlined in Tex. R. Civ.P.40 and wish to be included. (a)Permissive Joinder. All persons may join in one action as plaintiffs if they assert any right to relief jointly, severally, or in the alternative in respect of or arising out of the same transaction, occurrence, or series of transactions or occurrences and if any question of law or fact common to all of them will arise in the action. All persons may be joined in one action as defendants if there is asserted against them jointly, severally, or in the alternative any right to relief in respect of or arising out of the same transaction, occurrence, or series of transactions or occurrences and if any question of law or fact common to all of them will arise in the action. A plaintiff or defendant need not be interested in obtaining or defending against all the relief demanded. Judgment may be given for one or more of the plaintiffs according to their respective rights to relief, and against one or more defendants according to their respective liabilities Tex. R. Civ. P. 40 Under Texas Election Code Title 14. Election Contest Subtitle B. Contest In District Court Chapter , any voter my contest election CONSENT TO E MAIL SERVICE Lawrence Traw consents to e mail service of any motions, pleadings, and filings in this case. TEX. R. CIV. P. mail service shall be directed to Lawrence A. Traw lawrencetraw@yahoo.com CONCLUSION Mr. Traw respectfully asks this Court to render judgment against Susan Robertson and severally, for all damages, costs, pre judgment interest, and post judgment interest at the maximum rate allows by law and for all such other and further relief to which Miste and Mrs. Traw shows themselves entitled at law or in equity. Respectfully submitted, aren G. Traw Attorney at law PTY Lawrence A. Traw 3842 Lakewood Dr Montgomery, Texas 77301 Phone: Email: lawrencetraw@yahoo.com CERTIFICATE OF SERVICE This is to certify that a true and correct copy of the foregoing Amended Petition has been delivered to the following counsel of record by e service or personal delivery on August _ ___, 2022, pursuant to Texas Rules of Civil Procedure 21 and 21a: Susan Robertson 3927 Knollcrest Montgomery, Texas 77356 Email:spin833@gmail.com Karen G. Traw