in the Interest of J.A.C. and Z.C.C. ( 2015 )


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    FILED N
    CAUSE NO. 05-15-00554-CV              5!H COURT OF APPEALS
    IN THE INTEREST OF                               §                   HqST"RJIiqgr^EALS
    §
    JAC. AND Z.C.C.,                                 §               FOR m& WPTP DJSIRJfT
    §
    CHILDREN                                         §           AT DALLAS, TEXAS
    EMERGENCY MOTION TO OPPOSE EXTENSION OF DEADLINE FOR ENTRY OF
    FINDINGS OF FACT AND CONCLUSIONS OF LAW BY TRIAL COURT
    TO THE HONORABLE JUDGES OF SAID COURT:
    NOW COMES NATHAN CRAMER, pro se respondent, and files this Emergency Motion to
    OPPOSE Extension ofDeadline for Entry ofFindings ofFact and Conclusions ofLaw by
    Trial Court.
    NATHAN CRAMER was served with an Unopposed Motion to Extend Deadline for Entry of
    Findings ofFact and Conclusions ofLaw by Trial Court via email on June 24, 2015 at 6 PM.
    NATHAN CRAMER has had no correspondence or conferences with Michelle O'Neil in
    reference to this matter prior to her email service of said motion that was received on June 24,
    2015 and vigorously opposes said motion.
    The Court should deny this Unopposed Motion to Extend Deadline for Entry ofFindings of
    Fact and Conclusions ofLaw by Trial Court as it brings continued unnecessary and extreme
    hardship on the Appellants, Z.C.C. and J.A.C., mentally and physically. This extreme hardship
    comes from knowing that their biological father, Respondent Eldon Wayne Massey, does not
    want them and adamantly refuses to even sustain them with the minimum physical requirements
    to survive of food, shelter, clothes and medical insurance even though, as a millionaire, he has
    the means to care for his children's, Jacob and Zachary, basic needs.
    The First Request for Findings of Facts and Conclusions of Law by the Trial Court was filed on
    April 27, 2015. This request was blatantly ignored. The Second Request for Findings of Facts
    and Conclusions ofLaw by the Trial Court was also blatantly ignored. Michelle O'Nqii-, -^          03
    Attorney for Respondent Eldon Wayne Massey, has had more than enough time, afte^w                  O
    months and two requests, to produce these.                                              ap
    FACTS:                                                                                  ™          QJjj
    Q S                  £
    NATHAN CRAMER was excluded and is notthe Petitioner's biological father, whichgyas tt              m
    determined by DNA genetic testing on May 8,2014.                              "    o               ^
    ELDON WAYNE MASSEY, respondent, was includedand is the Petitioner's biological father,
    which was determined by DNA genetic testing in March of 2013.
    ELDON WAYNE MASSEY, respondent, has known he was the biological father andhas been
    actively involved in decision making for Petitioner's, Z.C.C. and J.A.C, since their birth.
    ELDON WAYNE MASSEY continues relentlessly to try to evade his responsibility and duty to
    care for his biological children, Petitioner's Z.C.C. and J.A.C, by using his wealth to file
    frivolous and meaningless motions in effortsto deploy stall tactics in this case. ELDON
    WAYNE MASSEY is no stranger to Jacob and Zachary. They have knownhim their entire
    life.
    NATHAN CRAMER prays this Court will grant this Emergency Motion to OPPOSE Extension
    ofDeadlinefor Entry of Findings of Fact and Conclusions of Law by Trial Court and that this
    Court shall adjudicate Eldon Wayne Massey the biological father of J.A.C. and Z.C.C.
    NATHAN CRAMER prays this Court will please stop the circusof litigation, unnecessary
    delays and diversions being attempted by Respondent ELDON WAYNE MASSEY in efforts to
    negate his responsibility as to what a biological father should pay for his children. My sincere
    and heartfelt belief is that this is in the children's best interest.
    Respectfully Submitted,
    NATHAN PAULCRAMER
    8910 Southwestern Boulevard #1116
    Dallas, Texas 75214
    re**/£ja*c*+~
    lathan Paul Cramer,
    Pro se Respondent
    Certificate of Service
    I certify that a true copy of the above was served on each attorney of record or party under
    the Texas Rules of Civil Procedure on June 25,
    Nathan Paul Cramer, Pro se Respondent
    

Document Info

Docket Number: 05-15-00554-CV

Filed Date: 6/25/2015

Precedential Status: Precedential

Modified Date: 9/29/2016