Notice Default Sanctions

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IN THE CIRCUIT COURT FOR THE SIXTH JUDICIAL CIRCUIT IN AND FOR PASCO COUNTY, FLORIDA CASE NO.: 51-2004-004764-DR-WS/E Stephen Paul MARTIN, Petitioner/Father, v.

) ) ) ) )

Theresa Marie MARTIN, ) Respondent/Mother. ) ____________________________ )

Notice of Default, and Motion for Entry of Judgment and Execution Comes now Theresa M. Martin, providing Notice of Default against Stephen P. Martin and Arnelle M. Strand, and now moves the Court for entry of judgment and execution, to-wit:

Notice of Default 1.On June 29, 2007, the undersigned filed her “Motion for Sanctions against Arnelle Strand for Frivolous Filings; and, Petition for Contempt against Stephen P. Martin for Failing TWO of this Court’s ORDERS to Provide Changes in His Mailing Address” with the Clerk of this Court, and served both adverse parties. 2.The time for answer or defense, from either or both adverse parties, has elapsed with no responses, whatsoever; Accordingly, not only have both Stephen P. Martin and Arnelle M. Strand waived any defense (Fla.R.Civ.P. 1.140), they also have now conceded to judicially binding admissions of the veracity of said complaints against them (Fla.R.Civ.P. 1.110(e)). 3.Complaint was against Ms. Arnelle Strand in the amount of $275 for recompensing the undersigned’s actual legal assistance expenses and lost productive time in having to defend her frivolous filings, and in the amount of $1000 in punitive sanctions, to deter Ms. Strand from 1

making any such filings in the future, as it displays an obvious disgust for the professional integrity of the Florida Bar, and sanctions in the amount of $500 against each Ms. Arnelle Strand and Mr. Stephen Martin, for refusing to comply with their duties to inform, at all, let alone promptly, of the any changes of mailing addresses of Stephen Martin.

Motion for Entry of Judgment and Execution 4.Accordingly, the undersigned Respondent now moves the Court for Entry of Judgment and execution thereupon, in said amounts as to each said obligor, with normal judgment interest as may be applicable by law provided, until each said obligor pays his or her judgment in full.

WHEREFORE, the undersigned, Theresa M. Martin, now moves the Court for Entry of Judgment and execution thereupon, in said amounts as to said obligors, with normal judgment interest as may be applicable by law provided, until each said obligor pays his or her judgment in full, and for all other relief that is true and lawful, and just and proper, in the premises. Respectfully submitted, ______________________________ Theresa M. Martin

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CERTIFICATE OF SERVICE I hereby certify: that on this ______ day of August, 2007, a true and complete copy of the foregoing notice of default and motion for entry of judgment and execution, by depositing the same in the United States postal mail, first class postage preaffixed, has been duly served upon the following: Arnelle M. Strand, FBN 9806 Law Office of Arnelle M Strand, P.A. 8138 Massachusetts Avenue New Port Richey, FL 34653 and, as a courtesy, unless and until he begins to represent himself, also upon: Stephen P. Martin 25675 Hoffmeyer St. Roseville, MI 48066 Stephen P. Martin c/o Helene F. Ottinger 25924 Salem St. Roseville, MI 48066 ______________________________ Theresa M. Martin

Theresa M. Martin 10918 Norwood Avenue Port Richey, FL 34668 727-457-2436

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