On January 10, 2005 a
Order
was filed
involving a dispute between
City Of Houston,
Harris County,
Harris County Education Department,
Harris County Education District,
Harris County Flood Control District,
Harris County Hospital District,
Houston Community College System,
Houston Independent School District,
Port Of Houston Authority Of Harris County,
and
Dehumidification Technologies,
Garcia, Elaine,
Garcia, Genaro C,
Garcia, Genaro Jr,
Greater East End Manag Distby Serving Tax Assessor Collector Paul Bett,
Harvest Bend Section I Association,
Moore, John Knox,
Unknown Heirs Of Genaro C Garcia,
for TAX SUIT
in the District Court of Harris County.
Preview
@
PA
STEVX
SUIT NO. 2005-01965
HARRIS COUNTY, ET AL IN THE DISTRICT COURT
VS. 151ST JUDICIAL DISTRICT
GENARO C GARCIA, ET AL. IARRIS COUNTY, TEXAS
STATEMENT OF EVIDE E
BI: 1! REMEMBERED THAT upon trial of the above numbered and entitled cause, held on the 11th day of September. 2009.
the evidence at said trial was as follows:
HARRIS COUNTY. on behalf of itself and the following county-wide taxing authorities, the HARRIS COUNTY
DEPARTMENT OF EDUCATION. the PORT OF HOUSTON AUTHORITY OF HARRIS COUNTY. the HARRIS COUNTY FLOOD
CONTROL DISTRICT. the HARRIS COUNTY HOSPIT AI. DISTRICT (hereinafter Harris County). CITY OF HOUSTON. HOUSTON
INDEPENDENT SCHOOL DISTRICT (hereinafter Houston ISD) and HOUSTON COMMUNITY COLLEGE SYSTEM (hereinafter
TICCS). as Plaintiff si appeared at the time of trial by and through their attomey of record. and introduced into evidence certified delinquent
tax statements which are attached to the Master's Report which is on file in this case and hereby incorporated into this statement.
The Court examined the record verifying that the affidavit for citation by posting. the citation by posting and the Officer's return on
such citation were in the proper form and order. The Court further recognized that Plaintifits) previously submitted an affidavit with their
Mation te Appoint Attorney AdL item setting forth the measures taken to locate the whereabouts of the delendantis) cited by posting. in
addition the attorney adlitem for the defendant(s) cited by posting. testified in person or by affidavit as to his‘her reasonable and diligent
efforts in locating such defendant(s).
The statement of evidence having been examined and found to be correct is approved and signed as the original statement of
evidence required by Rule 244. Texas Rules of Civil Procedure.
Signed this the day of
NOV 18 2009
—_—.
Loli)
Judge Pri 2
Approved:
LINEBARGER GOGGAN BLAIR & Patrick D. Mahoney
SAMPSON. LLP Mahoncy & Associates
1301 TRAVIS. SUITE 300 (77002) 9601 Katy F Ste 375
PQ BOX 3064 Houston. TX. 77024-1394
HOUSTON. TX 77253-3064 (713) -1700
(713) 844-3580. (713) 844-3502 - Fax 53-1791- Fax
eet dt Pe
Pankaj R. P: ar
pee
Pairick D. Mahoney
p--
State Bar No. 2708 State Bar No. 12844-4807
Auormey for Plaintiffis) FILED Loren Jackson
Attorney Ad Litem for Defendants
District Clerk
SEP 11.2009
p11 2009
Time: sesame
By —_—— ote
Document Filed Date
November 18, 2009
Case Filing Date
January 10, 2005
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