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  • Evelyn E Rodriguez v. Cesar Agusto GironPaternity-Private Atty document preview
  • Evelyn E Rodriguez v. Cesar Agusto GironPaternity-Private Atty document preview
  • Evelyn E Rodriguez v. Cesar Agusto GironPaternity-Private Atty document preview
  • Evelyn E Rodriguez v. Cesar Agusto GironPaternity-Private Atty document preview
						
                                

Preview

Filed in Sarpy District Court er EFILED Case Number: D59C1240000100 Transaction ID: 0021045400 IN THE DISTRICT COURT OF SARPY COUNTY INIEBRASKA1/19/2024 09:46:29 AM CST EVELYN ESTEFANY RODRIGUEZ, ) CASE NO: CI PLAINTIFF, MOTION FOR SUBSTITUTE SERVICE VS. CESAR AGUSTO GIRON, DEFENDANT, COMES NOW the Plaintiff, Evelyn Estefany Rodriguez, by and through her attorney Trevor Brezack of HATCH AND DALLON, LLC and moves this Court for an Order allowing substitute service on Defendant for the reason that service cannot be made with reasonable diligence by any other method provided by statute. This Motion is made pursuant to Neb. Rev. Stat. §25-517.02. Plaintiff submits the attached Affidavit in support of this Motion and incorporates it herein as if fully set forth. WHEREFORE, Plaintiff moves this court for an order for alternative service and such further and other relief as the court may deem suitable and just. DATED this_!9 day of January , 2024. Evelyn Estefany Rodriguez, Plaintiff BY: i Tera Ent lg Trevor Brezack, # 2779 Hatch and Dallon, LLC 1910 S 72nd Street, Suite 305 Omaha, NE 68124 Ph: (402) 922-6010 Fax: (402) 922-6010 Tbrezack@hatchdallon.com Attorney for Plaintiff IN THE DISTRICT COURT OF SARPY COUNTY NEBRASKA EVELYN ESTEFANY RODRIGUEZ, ) CASE NO: CI PLAINTIFF, AFFIDAVIT FOR SERVICE BY VS. PUBLICATION CESAR AGUSTO GIRON, DEFENDANT. I, Trevor Brezack, being first duly sworn under oath, depose and state as follows: 1 I am the attorney representing the Plaintiff in the above-captioned matter. 2. The Plaintiff and myself, as Plaintiff's Counsel, were unable to ascertain Defendant’s mailing address. 3. The Defendant is believed to be living in Honduras but upon diligent search and inquiry, his whereabouts cannot be verified. 4. In conducting said search and investigation, I relied on information from the Plaintiff. 5. Due to the fact that Plaintiff has had no contact with Defendant since 2006, and that there has been a breakdown in the relationship between Plaintiff and Defendant, Defendant cannot be served personally with reasonable diligence. Further, affiant sayeth not. State of Nebraska ) ) ss. County of Douglas ) Trevor Brezack, being first duly sworn upon oath, deposes and states that he is the attorney for the Plaintiff in the above and foregoing affidavit, and that the contents thereof are true. SUBSCRIBED and SWORN to before me this_{9 day of Jameary _: 2024. Rhes NUNC Notary Public che GENERAL NOTARY =) tate of ieorask Ana Pena-Navarrete My Comm. Exp. July 20,2026