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  • In the Matter of the Marriage of Nayar Ali and Sadiq Ali and in the Interest of Alisha S. Ali, MinorDivorce - With Children document preview
  • In the Matter of the Marriage of Nayar Ali and Sadiq Ali and in the Interest of Alisha S. Ali, MinorDivorce - With Children document preview
  • In the Matter of the Marriage of Nayar Ali and Sadiq Ali and in the Interest of Alisha S. Ali, MinorDivorce - With Children document preview
  • In the Matter of the Marriage of Nayar Ali and Sadiq Ali and in the Interest of Alisha S. Ali, MinorDivorce - With Children document preview
  • In the Matter of the Marriage of Nayar Ali and Sadiq Ali and in the Interest of Alisha S. Ali, MinorDivorce - With Children document preview
  • In the Matter of the Marriage of Nayar Ali and Sadiq Ali and in the Interest of Alisha S. Ali, MinorDivorce - With Children document preview
						
                                

Preview

Filed 11/16/2023 11:16 AM Beverley McGrew Walker District Clerk Fort Bend County, Texas Brette Sansom NOTICE: THIS DOCUMENT CONTAINS SENSITIVE DATA NO. 13-DCV-210933 IN THE INTEREST OF IN THE DISTRICT COURT p=ee 32874 JUDICIAL DISTRICT A CHILD FORT BEND COUNTY, TEXAS MOTION FOR JUDGMENT NUNC PRO TUNC This Motion for Judgment Nunc Pro Tunc is brought by SADIQ ALI, Petitioner, who shows in support: I An Order of Enforcement by Contempt and Suspension of Commitment was signed in this case on February 20, 2023. 2 The judgment signed is incorrect because of the following clerical mistake in the record: On page 6, item #I under the section entitled Suspension of Commitment and Community Supervision incorrectly states the date of the “Agreed Order in Suit to Modify the Parent-Child Relationship” as September 2, 2026 when the actual date of that Order is September 2, 2016. The correction of the date is necessary to make the Order of Enforcement by Contempt and Suspension of Commitment enforceable if there are any future violations of the Order. SADIQ ALI prays that the Court grant the Motion for Judgment Nunc Pro Tunc. Respectfully submitted, THE ZAND LAW FIRM, PLLC 412 S. 9th Street Richmond, TX 77469 Tel: 281-751-6466 Fax: 281-305-0043 Ali: Motion for Judgment Nunc Pro Tune Page I of 2 Vs: Cease gated, —___ State Bar No. 24058614 info@zandlawfirm.com Attorney for Sadiq Ali Certificate of Service 1 certify that a true copy of this Motion for Judgment Nunc Pro Tunc was served in accordance with rule 21a of the Texas Rules of Civil Procedure on the following on November 16, 2023: Shantrice Bush X__E-service Cordell Law, LLP X_ E-mail 1330 Post Oak Blvd., Suite 1800 Facsimile Houston, TX 77056 CMRRR sbush@cordelllaw.com Regular First Attorney for Nayar Ellis Class Mail Dean Gand. By: Dean Zand Attorney for Sadiq Ali Ali: Motion for Judgment Nunc Pro Tune 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. Dean Zand Bar No. 24058614 info@zandlawfirm.com Envelope ID: 81709514 Filing Code Description: Motion (No Fee) Filing Description: Motion for Judgment Nunc Pro Tunc Status as of 11/16/2023 1:47 PM CST Associated Case Party: Sadiq Ali Name BarNumber | Email TimestampSubmitted Status Dean Zand info@zandlawfirm.com | 11/16/2023 11:16:26 AM | SENT Associated Case Party: Nayar Ellis Name BarNumber | Email TimestampSubmitted Status Shantrice Bush | 24040617 sbush@cordelllaw.com | 11/16/2023 11:16:26 AM | SENT