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  • In the Matter of the Marriage of Stephanie Marie Adams and Kevin James Adams and In the Interest of K.E.A. and R.A.A., Minor Children Divorce with Children document preview
  • In the Matter of the Marriage of Stephanie Marie Adams and Kevin James Adams and In the Interest of K.E.A. and R.A.A., Minor Children Divorce with Children document preview
  • In the Matter of the Marriage of Stephanie Marie Adams and Kevin James Adams and In the Interest of K.E.A. and R.A.A., Minor Children Divorce with Children document preview
  • In the Matter of the Marriage of Stephanie Marie Adams and Kevin James Adams and In the Interest of K.E.A. and R.A.A., Minor Children Divorce with Children document preview
  • In the Matter of the Marriage of Stephanie Marie Adams and Kevin James Adams and In the Interest of K.E.A. and R.A.A., Minor Children Divorce with Children document preview
  • In the Matter of the Marriage of Stephanie Marie Adams and Kevin James Adams and In the Interest of K.E.A. and R.A.A., Minor Children Divorce with Children document preview
						
                                

Preview

FILED: 9/7/2016 1:28:21 PM SHERRI ADELSTEIN Denton County District Clerk By: Sherri Adelstein, Deputy CAUSE NO. 16-07015-158 IN THE MATTER OF THE IN THE DISTRICT COURT MARRIAGE OF STEPHANIE MARIE ADAMS AND KEVIN JAMES ADAMS 158 JUDICIAL DISTRICT AND IN THE INTEREST OF KEA and RAA, MINOR CHILDREN DENTON COUNTY, TEXAS STEPHANIE MARIE ADAMS’ ORIGINAL ANSWER TO KEVIN JAMES ADAMS’ COUNTER-PETITION FOR DIVORCE TO THE HONORABLE JUDGE OF SAID COURT: COMES NOW Petitioner/Counter-Respondent, STEPHANIE MARIE ADAMS, and files this her Original Answer, and in support thereof would respectfully show unto the Court as follows: 1. Denial of Allegations Petitioner/Counter-Respondent enters a general denial. 2. Objection to Assignment of Case to Associate Judge Petitioner/Counter-Respondent objects to the assignment of this matter to an associate judge for a trial on the merits or presiding at a jury trial. 3. Attorney’s Fees, Expenses, Costs, and Interest It was necessary for Petitioner/Counter-Respondent to secure the services of George E. Crumley, of the law firm of Pittenger, Nuspl & Crumley, a licensed attorney, to prepare and defend this suit. To effect a judgment for attorney’s fees, expenses, and costs through trial and appeal should be granted against Respondent/Counter-Petitioner and in favor of Petitioner/Counter-Respondent for the use and benefit of Petitioner/Counter-Respondent’s Original Answer attomey and be ordered paid directly to Petitioner/Counter Respondent’s attomey, who may enforce the judgment in the attomey’s own name. Petitioner/Counter Respondent requests postjudgment interest as allowed by law. . Prayer Petitioner/Counter Respondent prays that all relief prayed for by Respondent/Counter Petitioner be denied, and that Petitioner/Counter Respondent be granted all relief requested hereinPetitioner/Counter Respondent prays for attomey’s fees, expenses, interest and costs as requested above, or as may be requested by further pleading Petitioner/Counter Respondent pray for general relief, and for such other and further relief to which Petitioner/Counter Respondent entitled. Respectfully submitted, PITTENGER, NUSPL & CRUMLEY Glendover Professional Center, Bldg. C 1420 W. Exchange Pkwy, Suite 180 Allen, Texas 75013 Telephone: (972) 359 1207 Telecopier: 972) 359 0707 Email: George@pnclawfirm.com qeorge Crumley BY: GEORGE E. CRUMLEY State Bar No. ATTORNEYS FOR STEPHANIE ADAMS Original Answer CERTIFICATE OF SERVICE Thereby certify that a true and correct copy of the foregoing document was forwarded to all counsel of record, via first class mail, facsimile transmission, certified mail, return receipt requested, and/or hand delivery, on this the 7th day of September, 2016. George Crumley GEORGE E. CRUMLEY Original Answer