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  • In the Matter of the Marriage of Babafemi Rominiyi and Kehinde Comfort Adejuwon and in the Interest of Minor Child(ren)Divorce - With Children document preview
  • In the Matter of the Marriage of Babafemi Rominiyi and Kehinde Comfort Adejuwon and in the Interest of Minor Child(ren)Divorce - With Children document preview
  • In the Matter of the Marriage of Babafemi Rominiyi and Kehinde Comfort Adejuwon and in the Interest of Minor Child(ren)Divorce - With Children document preview
  • In the Matter of the Marriage of Babafemi Rominiyi and Kehinde Comfort Adejuwon and in the Interest of Minor Child(ren)Divorce - With Children document preview
  • In the Matter of the Marriage of Babafemi Rominiyi and Kehinde Comfort Adejuwon and in the Interest of Minor Child(ren)Divorce - With Children document preview
  • In the Matter of the Marriage of Babafemi Rominiyi and Kehinde Comfort Adejuwon and in the Interest of Minor Child(ren)Divorce - With Children document preview
						
                                

Preview

Filed 5/28/2020 11:52 AM Beverley McGrew Walker District Clerk Fort Bend County, Texas Taylor Chung NOTICE: THIS DOCUMENT CONTAINS SENSITIVE DATA 20-DCV-273705 NO. IN THE MATTER OF § IN THE DISTRICT COURT THE MARRIAGE OF § Fort Bend County - 387th Judicial District Court § JULIET A. POMARE § JUDICIAL DISTRICT AND § FRANCISCO POMARE § FORT BEND COUNTY, TEXAS ORIGINAL PETITION FOR DIVORCE Discovery Level Discovery in this case is intended to be conducted under level 2 of rule 190 of the Texas Rules of Civil Procedure. 2. Objection to Assignment of Case to Associate Judge Petitioner objects to the assignment of this matter to an associate judge for a trial on the merits or presiding at a jury trial. 3 Parties This suit is brought by Juliet A. Pomare, Petitioner. The last three numbers of Juliet A. Pomare's driver's license number are The last three numbers of Juliet A. Pomare's Social Security number are Francisco Pomare is Respondent. 4, Domicile Petitioner has been a domiciliary of Texas for the preceding six-month period and a resident of this county for the preceding ninety-day period. 5. Service Process should be served on Respondent at 3411 Santa Catalina Court, Katy, Texas Page 1 of 3 77450 or at any place he may be found. 6. Protective Order Statement No protective order under title 4 of the Texas Family Code, protective order under Chapter 7A of the Texas Code of Criminal Procedure, or order for emergency protection under Article 17.292 of the Texas Code of Criminal Procedure is in effect in regard to a party to this suit and no application for any such order is pending. Zi Dates of Marriage and Separation The parties were married on or about May 10, 2018 and ceased to live together as spouses on or about March 23, 2020. 8 Grounds for Divorce The marriage has become insupportable because of discord or conflict of personalities between Petitioner and Respondent that destroys the legitimate ends of the marriage relationship and prevents any reasonable expectation of reconciliation. 9. Children of the Marriage There is no child born or adopted of this marriage, and none is expected. 10. Division of Community Property Petitioner requests the Court to divide the estate of Petitioner and Respondent in a manner that the Court deems just and right, as provided by law. d. Request for Change of Name Petitioner requests a change of name to Juliet A. Olewe. 12. Attorney's Fees, Expenses, Costs, and Interest It was necessary for Petitioner to secure the services of Sharlene A. Poyser, a licensed attorney, to prepare and prosecute this suit. To effect an equitable division of the estate of the Page 2 of 3 parties and as a part of the division, judgment for attorney's fees, expenses, and costs through trial and appeal should be granted against Respondent and in favor of Petitioner for the use and benefit of Petitioner's attorney; or, in the alternative, Petitioner requests that reasonable attorney's fees, expenses, and costs through trial and appeal be taxed as costs and be ordered paid directly to Petitioner's attorney, who may enforce the order in the attommey's own name. Petitioner requests postjudgment interest as allowed by law. 13. Prayer Petitioner prays that citation and notice issue as required by law and that the Court grant a divorce and all other relief requested in this petition. Petitioner prays that Petitioner's name be changed as requested above. Petitioner prays for attorney's fees, expenses, and costs as requested above Petitioner prays for general relief. Respectfully submitted, POYSER LAW FIRM 1001 Texas Avenue Suite 400 HOUSTON, TX 77002 Tel: (832) 498-5434 Fax: (832) 383-067, By: Sharlene A. YS ‘Oys State Bar N 91185 thepoyserfirm@gmail.com Attorney for Petitioner Page 3 of 3