On August 11, 2017 a
Order
was filed
involving a dispute between
and
for MODIFICATION-CUSTODY
in the District Court of Tarrant County.
Preview
233-623981-17 FILED
TARRANT COUNTY
10/15/2020 9:34 PM
NOTICE: THIS DOCUMENT THOMAS A. WILDER
DISTRICT CLERK
CONTAINS SENSITIVE DATA.
CAUSE NO. 233-623981-17
IN THE INTEREST OF § IN THE DISTRICT COURT
§
ALEXA NICOLE PALOMINOS, § 233D JUDICIAL DISTRICT
§
A CHILD § TARRANT COUNTY, TEXAS
MOTION FOR TEMPORARY ORDERS
To the Honorable Judge of said Court:
COMES NOW, Ismael Palominos, Petitioner, by and through his attorney of
record, Gregory J. Prickett, and pursuant to Section 105.001 of the Texas Family
Code, files this Motion for Temporary Orders regarding Sonia Palominos,
Respondent, and the following child, who is the subject of this suit:
Name Gender Birth Date
Alexa Nicole Palominos Female 08/25/2015
Request for Temporary Orders
1. Ismael Palominos requests the Court to dispense with the issuance of a
security bond. Ismael Palominos further requests the Court to issue, after notice and
hearing, temporary orders and FIND that:
(a.) all necessary residence qualifications and notice prerequisites have been
legally met; and
(b.) this Court has jurisdiction over this case and all the parties.
Orders Regarding Child
2. The requests for the following Temporary Orders are in the best interest of
and for the safety and welfare of the child named above.
MOTION FOR TEMPORARY ORDERS PAGE 1 OF 3
Temporary Child Support
3. Ismael Palominos requests the Court to order Ismael Palominos to pay
temporary child support to Sonia Palominos in an amount to be set by this Court for
the support of the child until further order of this Court including the following:
(a.) health and dental insurance premiums for coverage on the child and fifty
percent of the child's uninsured medical and dental expenses.
Bond Waived
4. Ismael Palominos further requests the Court to order that any requirement
for execution of a bond between the parties in connection with these temporary orders
for the protection of the parties is expressly waived.
Prayer
WHEREFORE, PREMISES CONSIDERED, Ismael Palominos respectfully
prays for the above-requested relief, together with all other relief to which Ismael
Palominos may be justly entitled, at law or in equity.
Respectfully submitted,
Malonis & Prickett Law
2121 Ridgmar Blvd, Ste 623
Fort Worth, TX 76116
T: (214) 674-1774
F: (817) 887-3093
/s/ Gregory J. Prickett
Gregory J. Prickett
Texas Bar Number: 24091330
greg.prickett@law-fortworth.com
Attorney for Ismael Palominos
MOTION FOR TEMPORARY ORDERS PAGE 2 OF 3
Certificate of Service
I certify that a true copy of this document was served in accordance with Rule
21a of the Texas Rules of Civil Procedure on the following on October 15, 2020.
Jonathan W. Fox by electronic filing manager at jfox@foxlawdfw.com.
/S/Gregory J. Prickett
Gregory J. Prickett
Attorney for Ismael Palominos
MOTION FOR TEMPORARY ORDERS PAGE 3 OF 3
Document Filed Date
October 15, 2020
Case Filing Date
August 11, 2017
Category
MODIFICATION-CUSTODY
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