On November 14, 2013 a
Exhibit,Appendix
was filed
involving a dispute between
City Of Edinburg,
Edinburg Consolidated Independent School District,
Edinburg Consolidated Independent School District, Et Al,
Hidalgo County,
Hidalgo County Drainage District # 01,
Hidalgo County Drainage District #1,
South Texas College,
South Texas Independent School District,
and
Vasquez, Deceased, Laura E.,
Vasquez, Raymundo,
for Tax Cases (OCA)
in the District Court of Hidalgo County.
Preview
Electronically Filed
6/9/2021 11:34 AM
Hidalgo County District Clerks
Reviewed By: Marshall Schuller
SUIT NO. T-2334-13-J
EDINBURG CONSOLIDATED § IN THE DISTRICT COURT
INDEPENDENT SCHOOL DISTRICT, §
CITY OF EDINBURG AND SOUTH TEXAS §
COLLEGE, ET AL §
§
VS. § 430TH JUDICIAL DISTRICT
§
RAYMUNDO VASQUEZ § HIDALGO COUNTY, TEXAS
STATEMENT OF EVIDENCE
It is agreed by the parties to this cause by their attorneys of record that the following is a true and
full statement of evidence introduced, as well as the proceedings had in the trial of the above-styled and
numbered cause on 10th day of June, 2021, before the Honorable Judge, Presiding District Court,
Hidalgo County, Texas. HIDALGO COUNTY, CITY OF EDINBURG, SOUTH TEXAS
INDEPENDENT SCHOOL DISTRICT, HIDALGO COUNTY DRAINAGE DISTRICT # 01
AND SOUTH TEXAS COLLEGE introduced citation by posting showing service on the Defendant(s):
Raymundo Vasquez (Deceased) (In Rem Only)
HIDALGO COUNTY, CITY OF EDINBURG, SOUTH TEXAS INDEPENDENT
SCHOOL DISTRICT, HIDALGO COUNTY DRAINAGE DISTRICT # 01 AND SOUTH TEXAS
COLLEGE as Plaintiffs by and through Plaintiffs attorney introduced into evidence the affidavit for
citation by posting, the citation by posting and the Officer's return on such citation, and, it appearing to
the Court that service of the citation was by posting at the door of the HIDALGO County Courthouse,
in HIDALGO County, Texas, the Court then proceeded to inquire into the sufficiency of the diligence
exercised in attempting to ascertain the residence or whereabouts of the defendant(s) cited by posting.
Plaintiffs witness, being sworn, testified to a search of the public records of the County and where such
records showed the address of any Defendant(s), citation was issued for personal service on such
Defendant(s) at such address in an attempt to secure service thereof, but was unserved, except to the
extent recited in the judgment in this cause. The witness further testified that an inquiry was made of
the person(s) in possession of the land and those persons in the community who might reasonably be
expected to know the whereabouts of such defendant(s). And the Court being of the opinion that diligent
inquiry had been made.
Plaintiffs introduced certified tax records showing that taxes were properly assessed and unpaid
to Plaintiffs.
Plaintiffs also introduced evidence of the appraised value of the property according to the most
recent appraisal roll approved by the appraisal review board.
The Attorney Ad Litem filed his report describing the actions he took to locate and represent the
interests of the defendant(s). The Court determined that the actions taken by the Attorney Ad Litem as
described in the report were sufficient to discharge the attorney’s duties to the defendant(s). The Court
2000.00
awarded the sum of $______________ to the Attorney Ad Litem who filed an Answer on behalf of the
Defendant(s) cited by posting.
PLAINTIFF EXHIBIT # 4
Suit No. T-2334-13-J Page 6 Suit Key No. 2211129
Electronically Filed
6/9/2021 11:34 AM
Hidalgo County District Clerks
Reviewed By: Marshall Schuller
The Court rendered judgment in favor of the Plaintiffs, EDINBURG CONSOLIDATED
INDEPENDENT SCHOOL DISTRICT, HIDALGO COUNTY, CITY OF EDINBURG, SOUTH
TEXAS INDEPENDENT SCHOOL DISTRICT, HIDALGO COUNTY DRAINAGE DISTRICT
# 01 AND SOUTH TEXAS COLLEGE as more fully appears in said judgment duly entered in the
minutes of the Court.
Witness our signatures on the __________________________.
Approved:
________________________________________
Lucy G. Canales
State Bar No. 08123075
Michael G. Cano
State Bar No. 24047724
Kelly Rivera Salazar
State Bar No. 24041785
Jaime Gonzalez
State Bar No. 24036654
Edinburg.Litigation@lgbs.com
Attorney for: Plaintiffs
________________________________________
Christopher Paul Cavazos
State Bar No. 24063598
chrispaulcavazos@gmail.com
Attorney for Defendant(s) named above who
were served by means of citation by posting.
The above and foregoing statement of evidence adduced at the trial of this cause having been
examined and found to be correct is by me approved and signed as the original statement of evidence
required by Rule 244, Texas Rules of Civil Procedure, on the date stated above.
________________________________________
Judge Presiding
Suit No. T-2334-13-J Page 7 Suit Key No. 2211129
Document Filed Date
June 09, 2021
Case Filing Date
November 14, 2013
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