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  • Laquoiya Taylor, as Next Friend of C.y., L.y., and M.w., Minor Children vs. Tiffany NelsonInjury or Damage - Other Injury or Damage document preview
  • Laquoiya Taylor, as Next Friend of C.y., L.y., and M.w., Minor Children vs. Tiffany NelsonInjury or Damage - Other Injury or Damage document preview
  • Laquoiya Taylor, as Next Friend of C.y., L.y., and M.w., Minor Children vs. Tiffany NelsonInjury or Damage - Other Injury or Damage document preview
  • Laquoiya Taylor, as Next Friend of C.y., L.y., and M.w., Minor Children vs. Tiffany NelsonInjury or Damage - Other Injury or Damage document preview
  • Laquoiya Taylor, as Next Friend of C.y., L.y., and M.w., Minor Children vs. Tiffany NelsonInjury or Damage - Other Injury or Damage document preview
  • Laquoiya Taylor, as Next Friend of C.y., L.y., and M.w., Minor Children vs. Tiffany NelsonInjury or Damage - Other Injury or Damage document preview
						
                                

Preview

NO. 24-DCV-317958 LAQUOIYA TAYLOR, AS NEXT IN THE DISTRICT COURT FRIEND OF C.Y., L.Y., AND M.W., MINOR CHILDREN TH JUDICIAL DISTRICT TIFFANY NELSON FORT BEND COUNTY, TEXAS AGREED MOTION TO APPOINT GUARDIAN AD LITEM TO THE HONORABLE JUDGE OF SAID COURT: Plaintiffs, LAQUOIYA TAYLOR, AS NEXT FRIEND OF C.Y., L.Y., AND M.W., MINOR CHILDREN, and Defendant, TIFFANY NELSON, file this Motion to Appoint Guardian ad Litem, and would respectfully show this Court the following: Plaintiff and Defendant have reached an agreement to settle this case. Plaintiff requests the Court appoint a Guardian ad Litem to represent the interests of the minor child, so that the settlement agreement, if deemed appropriate, may be properly approved. Based on the facts set forth above, Plaintiff and Defendant respectfully request that this Honorable Court appoint a Guardian ad Litem to represent the interests of the minor child in the above-referenced matter so that the settlement can be approved, and for such other and further relief, both general and special at law and in equity, to which they may show themselves justly entitled. Respectfully Submitted, GODSEY | MARTIN, P.C. 2950 North Loop West, Suite 400 Houston, Texas 77092 Phone: (713) 446-8448 jmonconduit@gmfirm.com By: /s/ Josie Y. Monconduit Josie Y. Monconduit Texas Bar No. 24101133 Attorney for Plaintiffs LAW OFFICES OF GALLERSON, LAWRENCE & SEYMORE BY: /s/ Sandra Garcia Sandra Garcia SBN: 24091363 MAILING ADDRESS: PO BOX 7217 LONDON, KY 40742 Phone: (713) 546-2000 Fax: (855) 610-8083 Email: Sandra.garcia02@libertymutual.com E-Service: Houstonlegalmail@libertymutual.com Attorney for Defendant CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of the above and foregoing instrument has been served upon all counsel of record via the Court’s electronic filing/service system, email, and/or facsimile, pursuant to Rule 21a, T.R.C.P., on this July 3, 2024. /s/ Sandra Garcia Sandra Garcia 2