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  • RODNEY MORRIS  vs.  RODNEY MCLEODMOTOR VEHICLE ACCIDENT document preview
  • RODNEY MORRIS  vs.  RODNEY MCLEODMOTOR VEHICLE ACCIDENT document preview
  • RODNEY MORRIS  vs.  RODNEY MCLEODMOTOR VEHICLE ACCIDENT document preview
  • RODNEY MORRIS  vs.  RODNEY MCLEODMOTOR VEHICLE ACCIDENT document preview
						
                                

Preview

FILED DALLAS COUNTY 1/22/2015 12:31:58 PM FELICIA PITRE DISTRICT CLERK CAUSE NUMBER DC-14-13897 RODNEY MORRIS § IN THE DISTRICT COURT Plaintiff § § vs. § 162nd JUDICIAL DISTRICT § RODNEY MCLEOD § DALLAS COUNTY, TEXAS Defendant § ORIGINAL ANSWER AND GENERAL DENIAL TO THE HONORABLE JUDGE OF SAID COURT: COMES NOW, Rodney McLeod, Defendant, in the above styled and numbered cause, and files this, his Original Answer to the suit filed by Plaintiff, and would respectfully show the Court as follows: I. Defendant denies generally each and every, all and singular, the allegations contained in Plaintiff’s pleadings, and since they are but mere allegations of fact, demands strict proof thereof by a preponderance of the evidence in accordance with the laws of the State of Texas. Respectfully submitted, By ________________________________ Vickers L. Cunningham, Sr. Attorney for Rodney McLeod State Bar No. 05248040 6301 Gaston Ave Ste 210 Dallas, TX 75213 Office: 972-445-5100 Cell: 214.850.1499 Email: judgevic@flash.net Defendant’s Original Answer CERTIFICATE OF SERVICE This is to certify that on the 22nd day of January, 2015 a true and correct copy of the forgoing Defendant’s Original Answer has been delivered to opposing counsel, Dennis M. Holmgren via email: dennis@hjmmlegal.com By ________________________________ Vickers L. Cunningham, Sr. Defendant’s Original Answer