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  • JIMMY TL CHO  vs.  MATTHEWS RETAIL GROUP, INC, et alOTHER (CIVIL) document preview
  • JIMMY TL CHO  vs.  MATTHEWS RETAIL GROUP, INC, et alOTHER (CIVIL) document preview
  • JIMMY TL CHO  vs.  MATTHEWS RETAIL GROUP, INC, et alOTHER (CIVIL) document preview
  • JIMMY TL CHO  vs.  MATTHEWS RETAIL GROUP, INC, et alOTHER (CIVIL) document preview
  • JIMMY TL CHO  vs.  MATTHEWS RETAIL GROUP, INC, et alOTHER (CIVIL) document preview
  • JIMMY TL CHO  vs.  MATTHEWS RETAIL GROUP, INC, et alOTHER (CIVIL) document preview
						
                                

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FILED 12/30/2022 12:23 PM FELICIA PITRE DISTRICT CLERK DALLAS CO., TEXAS Jenifer Trujillo DEPUTY NO. DC-21-12550 JIMMY TL CHO, IN THE DISTRICT COURT §§§§§§§§§§§§§§ Plainnffi V. IOIST JUDICIAL DISTRICT MATTHEWS RETAIL DROUP, INC., dm/a MATTHEWS REAL ESTATE INVESTMENT SERVICES, ANDREW GROSS, AMERICAN ARBITRATION ASSOCIATION, INC., LEE CORDOVA, AND TEXAS TOZEE, LLC Defendants. DALLAS COUNTY, TEXAS REQUESTS FOR FINDINGS OF FACT AND CONCLUSIONS OF LAW TO THE HONORABLE COURT Jimmy Cho, Plaintiff in the above numbered and styled action, brings this REQUESTS FOR FlNDINGS OF FACT AND CONCLUSIONS OF LAW, and would show the court the following: This Court entered judgment against Jimmy Cho, as styled above, in this Matter on December 8, 2022. Jimmy Cho, hereby, requests: that this Court state, in writing, the facts found by the Court; that the Court separately state, in writing, the Court’s conclusions of law; and that this Court file such findings of fact and conclusions of law with the clerk of this Court so that they shall be part of the record of the cause pursuant to rules 296 and 297 of the Texas Rules of Civil Procedure. “No motion for new trial or request for findings of fact and conclusions of law shall be held ineffective because prematurely filed . . . and every such request for findings of fact and REQUESTS FOR FINDINGS 0F FACT AND CONCLUSIONS 0F LAW Page 1 of 2 conclusions of law shall be deemed to have been filed on the date of but subsequent to the time of signing of the judgment.” TEX. R. CIV. P. 306C. Respectfully Submitted, By: /s/ William Chu William Chu SBN: 04241000 wmchulaw@aol.com LAW OFFICES 0F WILLIAM CHU 4455 LBJ Freeway, Suite 1008 Dallas, Texas 75244 (T) 972-392-9888 (F) 972-392-9889 ATTORNEY FOR PLAINTIFF CERTIFICATE OF SERVICE In accordance with Rule 2la(a)(1) of the Texas Rules of Civil Procedure, the undersigned certifies that a true and correct copy of this document was contemporaneously E—served to all parties or their counsel of record Via efile.txcourts.gov to their email address therein on 12/30/2022. /s/ William Chu REQUESTS FOR FINDINGS 0F FACT AND CONCLUSIONS 0F 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. William Chu Bar No. 04241000 wmchulaw@aol.com Envelope ID: 71388369 Status as of 12/30/2022 1:29 PM CST Associated Case Party: JIMMYTLCHO Name BarNumber Email TimestampSubmitted Status William Chu wmchulaw@aol.com 12/30/2022 12:23:05 PM SENT William Chu wmchulaw@gmail.com 12/30/2022 12:23:05 PM SENT Law Offices ofWilliam Chu docs.wmchulaw@gmail.com 12/30/2022 12:23:05 PM SENT Office Efiles wmchulawefile@gmail.com 12/30/2022 12:23:05 PM SENT Associated Case Party: MATTHEWS RETAIL GROUP, INC Name BarNumber Email TimestampSubmitted Status Cassie Maneen cmaneen@beckredden.com 12/30/2022 12:23:05 PM SENT Fileds Alexander falexander@beckredden.com 12/30/2022 12:23:05 PM SENT Associated Case Party: AMERICAN ARBITRATION ASSOCIATION, INC Name BarNumber Email TimestampSubmitted Status Linda G.Moore |moore@estesthornecarr.com 12/30/2022 12:23:05 PM SENT Dawn Estes destes@estesthornecarr.com 12/30/2022 12:23:05 PM SENT Tammy Goodson tgoodson@estesthornecarr.com 12/30/2022 12:23:05 PM SENT Andrea Howard ahoward@estesthornecarr.com 12/30/2022 12:23:05 PM SENT