Mary Ann Castro v. Manuel Castro ( 2015 )


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  • In the Fourth Court Of Appeals Fourth Court Of Appeals District San Antonio Texas Bexar County -a *—- zn Maryann Castro — —~ ^9 ■' Manuel Castro Re: Court Of Appeals Number: 04-14-00785-CV Trial Court Case 2011 -CI-15957 To The Honorable justices of The fourth Court Of Appeals MOTION FOR REPAYMENT OF MORTGAGE IN THE AMOUNT OF $73,967.02 for it was spousal support Appellee Manuel Castro did not pay Here comes Appellant Maryann Castro this motion is in good intent to apply Justice where it is needed Appellee Manuel Castro had agreed to pay the home mortgage when Appellant Maryann Castro and Appellee Manuel Castro went before the court upon separating on or about July 2011. Appellee Manuel Castro was to pay the mortgage as to appellant Maryann Castro is disabled and was not employed and Appellee Manuel Castro did not pay the mortgage instead used the Community funds to pay for his extra martial affair with Mistress Christina Pacheco Appellee Manuel Castro risk the community to foreclosure on January 6, 2015 almost cost Appellant Maryann Castro her interest in 1501 Oiive with his attempt to conspire and commit fraud against Appellant Maryann Castro to harm and almost causing her to be homeless. Appellee Manuel Castro is gainfully employed and Appellant Maryann Castro prays for Justice in the Court providing her spousal maintence to be payroll deducted from Appellee Manuel Castro weekly paycheck Appellant Maryann Castro is owed this for it was Appellee Manuel Castro who had the order of the Court to pay the home Mortgage and did not that was to be done instead of spousal support it was ordered and therefore Appellee Manuel Castro owes Appellant Maryann Castro the Amount of 73,967.02 and Appellant Maryann Castro will apply the monies owed to the home mortgage that was not paid by Appellee Manuel Castro instead he defaulted and put the home in active bankruptcy. A) Mining Group Appellee Manuel Castro is employed at rate hourly 20.71 and overtime 31.065 B) Appellant Maryann Castro in come 864.00 C) BSI 73,967.02 Appellant Maryann Castro resides at 1501 Olive and prevented foreclosure Appellee Manuel Castro intent was to jeopardize Appellant MaryAnn Castro interest in 1501 Olive when he allowed foreclosure on Jan 6, 2015 and Bankruptcy on or about August 2012. Appellant Maryann Castro prays for Justice Respectfully Maryann Castro pro-se Appellant 1501 Olive J Jourdanton Texas 78026 830-496-0133 PACATTITUDE2014iaGMAIL.COM Filed 5/13/2015 ^ | )^) Mining Group Inc. Advice Routing: Pay Group: SUM-Hourly Cra Opportunity Employer Dept: 14965 - San Miguel Labor Pay Begin Dale; 04/01/2013 31096 Sub Payroll; 3 Pay End Dale: 04/07/2013 IE 68131 402/342-2052 Pay Basis: Hourly .uadalupe Castro Jr LAST JOB WORKED: TAX DATA: Feder.":! ;kory Shadow Empl (f; 00000 Marital Status: Marriet fTX 78112 Job tf: 14965 Allowances: 0 Location: San Miguel Labor Addl. Pet.: 247763 Addl. Amt.: HOURS AN1> EARNINGS ■. TAXES Current —YTD — ■Rale Hours Earnings Hours Eaminas Description 20.710000 40.00 828.41 523 50 10.S24.70 Fed Withholdng - Time and One H 31.065000 18.00 559.17 147.00 4,56238 Fed MED/EE ay 23.00 47139 Fed OASD1/EE Off 43.50 900.90 w Non-Taxable 324.83 58.00 1387 .58 737.00 17.08420 Total: 3EFO&E-TAX DEDUCTIONS" EMPLOYE n Current YTD Description Current YTD De: enption isu ranee 54 59 77 U0 Employee Supplemental Lif 5.10 76.50 Medical Insurance u ranee 527 78.14 Accident Death & Dismbr - 030 450 Vision Insurance Depend AD & D - KieChoice 0.18 2.70 Group Term Life Insuran> Clothing 4.15 6025 Group Term Life Insuram Garnishment - Bankruptcy 184.62 2,76930 Disability Insurance 59.86 849.64 Total: 19435 251325 Taxable i; -;FED TAXABLE L -DEDL'CnONS 1387.58 1329.00 259S1 25421 17.08420 15528.86 E: Advice #53850 s / A 1 Total: Your New Benefit Amount BENEFICIARY'S XAME: MARYXNN CASTRC .T'~.z \~. _ ca.n csc r."M; ,;..;r "zrz " i - "c-^-i zn 11 jfv(sr D-cnsnt snti^nTirro pECeivs fooc. rcEt. or energy assistance: bank !o£.ns: or for orher business. Keep this ierrer with your important financial records. How Much Will I Get And V>~hen? • Your — :-zz=ly srsount ("before deductions) is 51.14S.90. • Tie in:™: - r Seduci for Medicare medical insurance is SID4.90 ■If}:_ £inxh=\-e Medicare as ofNov. 20,2014, "`` :r:: £■: ~ r:^= else pays your premium, we show SO.00.) • ~:= ": —: ~>"e deduct for your Medicare prescription drag dIsh is SO.QQ !:"_:_ i;i -:■: elect withholding as of Nov. 1. 2014. w-s showSO.00.) • ~: = _~ ;ur.: we deduct for voluntan; Federal tax ^itiriclcing ;s 5' " If; :u iic not elect voluntary tax withholding as of :.":-•■. :.}. 2014, we show S0.00.) ■ Afrer we take any other deductions, you will receive S864.00 as or about Jan. 2,2015. :fyou disagree with any of these amounts, you must write to us within 60 days from the date you receive this letter. We would be happy to review the amounts. You ~ay receive your benefits through direct deposit, a Direct Express- card, or an Electronic 7mire:A-;ouz.7. If you still receive a paper c'neck and want to switch to an electronic ~r-—.tzr^ psssc ■■is:" ~.zr Deparziiea: c~'Jz= lrsasoij'is Go Direct website at www.godirect.org. ~ ■'. ._j ■" -' _i :_ — 3E5 i i number. l-u> av when you embassy or consulate office. Pleasehave -2II rr visit 2nd include >*on "■•* *-«— ' :~ 10/09/2014 MANUELG CASTROJR 1501 OLIVE ST JOURDANTON, TX 78026-2220 Loan Number: 44675 Property Address: 1501 OLIVE STREET JOURDANTON, TX 78026 NOTICE OF DEFAULT AND ENTENT TO ACCELERATE Dear MANUEL G CASTRO JR: This letter is formal notice by BSI Financial Services, Inc. (herein as "BSI") the Servicer of the above-referenced loan, on behalf of MLB SUB I, LLC that you are in default under the terms of the documents creating and securing your Loan described above, including the Note and Deed of Trust/Mortgage/Security Deed ("Security Instrument"), for failure to pay the amounts due. The loan is due for 12/01/2011 and subsequent payments, plus late charges, fees and costs. As of today, the toial delinquency and reinstatement amount is S73.967.02, which consists of the following: Next Payment Due Date 12/01/2011 Total Monthly Payments Due: $66,367.76 (35 @S 1,732.72) Late Charges 54,204.26 Other Fees: S3,395.00 Unapplied Balance: fSQ.001 TOTAL YOU MUST PAY TO CURE DEFAULT: S73,967.02 It is possible that after payment of the amounts detailed above there may be other fees still due and owing, including but not limited to other fees, escrow advances or corporate advances that BSI paid on your behalf or advanced to your account. This letter is a formal demand to pay S73.967.02. If the default, together with additional payments that subsequently become due, is not cured by 11/13/2014, BSI will accelerate the note so that the entire debt is immediately due and payable, and take steps to terminate your ownership in the properly by a foreclosure proceeding or other action to seize the property. IF YOU ARE UNABLE TO BRING YOUR ACCOUNT CURRENT, BS3 offers consumer assistance programs designed to help resolve delinquencies and avoid FORECLOSURE. These services are provided without cost to our customers. You may be eligible for a loan workout plan or other similar alternatives. If you would like to leam more about these programs, you may contact the Loss Mitigation Department at (800) 327-7861, Monday-Wednesday S am to 8 pm EST, Thursday 8 am to 6 pm EST, Friday 8 am to 5 pm EST, Saturday 8 am to 12 pm EST. WE ARE VERY INTERESTED IN ASSISTING YOU. The default above can be cured by payment of the total delinquency and reinstatement amount plus any TX_NOI (' Pagei of 3 V

Document Info

Docket Number: 04-14-00785-CV

Filed Date: 5/14/2015

Precedential Status: Precedential

Modified Date: 9/30/2016