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  • In the Interest of Minor Child(ren)Parent-Child - No Divorce document preview
  • In the Interest of Minor Child(ren)Parent-Child - No Divorce document preview
  • In the Interest of Minor Child(ren)Parent-Child - No Divorce document preview
  • In the Interest of Minor Child(ren)Parent-Child - No Divorce document preview
  • In the Interest of Minor Child(ren)Parent-Child - No Divorce document preview
  • In the Interest of Minor Child(ren)Parent-Child - No Divorce document preview
  • In the Interest of Minor Child(ren)Parent-Child - No Divorce document preview
  • In the Interest of Minor Child(ren)Parent-Child - No Divorce document preview
						
                                

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2/28/2024 4:31 PM Marilyn Burgess - District Clerk Harris County Envelope No. 85019816 By: Audrey Roquemore Filed: 2/28/2024 1:06 PM NOTICE: THIS DOCUMENT CONTAINS SENSITIVE DATA 24-DCV-315763 NO. 2022-42566 505th IN THE INTEREST OF § IN THE DISTRICT COURT La) § § 312 JUDICIAL DISTRICT A CHILD § HARRIS COUNTY, TEXAS MOTION TO TRANSFER This Motion to Transfer is brought by LISA NIX BRYANT, Petitioner, who requests transfer of this proceeding. I Jurisdiction This Court has acquired and retains continuing, exclusive jurisdiction of this suit and of the child the subject of this suit as a result of prior proceedings. 2. Grounds for Transfer The principal residence of the child is in Fort Bend County, Texas, and has been in that county during the six-month period preceding the commencement of this suit. Venue is proper in that county. 3 Prayer LISA NIX BRYANT prays that notice be issued as required by law. LISA NIX op BRYANT prays that the Court order the transfer of this proceeding in accordance with the allegations of this motion. LISA NIX BRYANT prays for general relief. Respectfully submitted, CANNON LAW, PLLC 210 Brooks Street e Sugar Land, Texas 77478 Tel: (281) 402-8336 Fax: (832) 500-7298 By: Alnres yy Canney ~ Lennea M. Cannon State Bar No. 24045612 service@cannonlawtexas.com Attorney for LISA NIX BRYANT Certificate of Service 1 certify that a true copy of this Motion to Transfer was served in accordance with rule 21a of the Texas Rules of Civil Procedure on the following on February 28, 2024: ERIC WADE SANDERS by personal delivery at 2350 Atascocita Road, Humble, Texas 77396. D Wy Caner = Lennea M. Cannon Attorney for LISA NIX BRYANT ep a 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. Lennea Cannon on behalf of Lennea Cannon Bar No. 24045612 service@cannonlawtexas.com Envelope ID: 85019816 Filing Code Description: No Fee Documents Filing Description: Civil Process Request Form Status as of 2/29/2024 8:53 AM CST Case Contacts Name BarNumber | Email TimestampSubmitted | Status Lennea Cannon service@cannonlawtexas.com | 2/28/2024 4:31:51 PM | SENT OFFICE OF ATTORNEY GENERAL CSD-legal-615@oag.texas.gov | 2/28/2024 4:31:51 PM | SENT yanteetteey a oF HARRY. vee Sq "*tansan sett I, Marilyn Burgess, District Clerk of Harris County, Texas certify that this is a true and correct copy of the original record filed and or recorded in my office, electronically or hard copy, as it appears on this date. Witness my official hand and seal of office this April 30, 2024 Certified Document Number: li 412 Total P. : nib Bug Marilyn Burgess, DISTRICT CLERK HARRIS COUNTY, TEXAS In accordance with Texas Government Code 51.301 and 406.013 electronically transmitted authenticated documents are valid. If there is a question regarding the validity of this document and or seal please e-mail support@hcdistrictclerk.com