John Kevin Gardner v. Julia Gardner ( 2015 )


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  •                                              NO 12-14-00139-CV
    IN THE TWELFTH COURT OF APPEALS
    TYLER, TEXAS
    JOHN KEVIN GARDNER
    APPELLANT
    V.
    JULIA ELAINE GARDNER
    APPELLEE
    APPELLANT MOTION FOR CHANGE OF VENUE
    TO THE HONORABLE JUSTICES OF SAID COURT:
    COMES NOW, JOHN KEVIN GARDNER, Appellant would ask this court to grant a change of venue in this
    case.
    Appellant John Kevin Gardner also asks this court to grant a change of venue.
    The facts will show that (and can be confirmed by this courts own website)
    1. This court refuses to dispose of this case in a timely manner.
    2. Appellant believes that this court has acted out of the ordinary time frame in this case as
    compared to all other similar cases (according to released orders/opinions on this courts
    website)
    3.   This appeal was filed on 5-30-2014
    4. This case (according to thiscourts own website) was "prescreened" on 1-6-2015 and was "ready
    to be set" on 12-22-2014.
    5. All briefs (appellant and appellee) were filed with this court in a timely manner and filed priorto
    12-23-2014
    6. Appellant does not believe that he can receive a fairtrial, order, or opinion in this case as long as
    this case is in Smith county Texas due to appellee's family ties and personal ties to law
    enforcement, judges, and other officials in Smith county Texas.
    7. The appellee's step father (Jack Ferguson) was friends with multiple judges, lawenforcement,
    and other officials in Smith county Texas due to his long history with the Texas D.P.S., Smith
    countysheriffs dept, and several political campaigns for offices inSmith countyTexas.
    I pray that this court will grant me relief and grant a change of venue.
    Respectfully submitted,
    John Kevin Gardner
    4550 Hwy 31 west, Tyler Tx. 75709
    903-521-4381
    Certificate of service
    As required by Texas rule of appellate procedure 6.3 and 9.5 (b), (d), (e), I certify that I have served this
    document on all other parties which are listed below on 11-12-2014 as follows:
    1 Joe Thigpen
    Attorney at law
    110 North College
    Suite 1401
    Tyler Texas 75702
    903-595-0998
    903-595-1299 (fax)
    By
    Personal delivery
    •           Mail
    •           Commercial delivery service
    C           Fax
    y&K k»;A~ aV-t-X^
    Signature
    Date
    

Document Info

Docket Number: 12-14-00139-CV

Filed Date: 7/28/2015

Precedential Status: Precedential

Modified Date: 9/29/2016