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Tuesday, February 23, 2016

CHICAGO COURT SYSTEM IS SO BROKEN ANYBODY CAN MAKE AN ASS OUT OF JUDGES LAWYERS CRIMINALS ETC IF THE PRICE IS RIGHT

THE POLICE HAVE VIDEO FOOTAGE OF PERPETRATORS ENTERING AND EXITING MY BROTHERS RESIDENCE BEFORE HE WAS MURDERED AND AFTER THE HOUSE EXPLODED IN A TERRORIST MANNER BUT HAVE NO SUSPECTS WHY NOT?

THIS CASE IS RELATED TO THE DECEMBER 1ST POST ALL 3 PARTS AN INNOCENT MAN'S LIFE WAS TAKEN AND ONLY BECAUSE OF HIS SKIN COLOR VERY LITTLE PRIORITY SEEMS TO BE CONSIDERED IN THIS CASE OR IS THAT SOMEBODY WAS PAID OFF?

WAS MY  BROTHER THE VICTIM OF AN ORGANIZED INSURANCE SCAM INVOLVING JUDGES CORRUPT POLITICAL CRONIES?

UPDATE: MARCH 2, I APPEARED WITH MY NEPHEW KRISTOPHER MATTHEWS ON JUDGE KATHLEEN O'MALLEY'S 10:00 AM CALL, MY NEPHEW WAS THE 2ND PERSON THE JUDGE CALLED SHE HAD A COPY OF THE AFOREMENTIONED MOTION ATTEPTED TO CRITICIZE THE MOTION SAYING SHE DID NOT QUITE UNDERSTAND WHAT WAS BEING SAID COMMENTED ON ALL OF THE JUDGES AND ATTORNEYS RECEIVING NOTICE OF THE MOTION AND NOT THE PARTIES IN QUESTION;

THE JUDGE SAID THIS APPEARED TO BE A CHANCERY MATTER AND THAT SHE DID NOT HAVE JURISDICTION ON CHANCERY MATTERS, MY NEPHEW MILDLY INTERRUPTED AND INFORMED THE JUDGE NO THIS IS A MOTION TO VACATE THE FEB. 19TH ORDER DUE TO FRAUD, I AM THE BROTHER AND SON OF MY FATHER'S ESTATE ORDERS WERE ENTERED FINDING MY SISTER AS THE ONLY HEIR WHICH IS NOT TRUE---THE JUDGE THEN SAID WELL YOU DIDN'T FILE THE PAPERWORK CORRECTLY YOU MIGHT WANT TO CONTACT AN ATTORNEY HANDED HIM A COPY OF LEGAL AID REPRESENTATIVES AND SAID FROM WHAT, I CAN SEE YOU MIGHT WANT TO FILE AN AMENDED HEIRSHIP AND DON'T NOTICE ALL OF THE PEOPLE SEND IT TO PERSONS OF RECORD AND ATTORNEY PROPERLY VACATE THE LETTERS OF ADMINISTRATION;

JUDGE O'MALLEY DIDN'T DISMISS THE EMERGENCY MOTION BUT STRUCK IT FROM THE CALL TOLD MY NEPHEW HE COULD REFILE THE MOTION BUT MAKE SURE THE OTHER SIDE RECEIVES NOTICE;

FACTS: WE WENT TO THE 12TH FLOOR AND ASCERTAINED THE RECORDS MADE COPIES AND LEARNED AN ATTORNEY ERNA DZAFIC APPEARED FROM THE LAW FIRM OF SHERYLE E. FUHR & ASSOCIATES FILED A NOTICE OF MOTION TO MY SISTERS ATTORNEY STEVEN M. CLOH, 345 N. CANAL STREET, CHICAGO, ILL 60606;

FACTS; THE ATTORNEY ERNA DZAFIC MADE AN ASS OUT OF JUDGE AICHA MARIE MACCARTHY 1.) FILING A NOTICE OF MOTION DATED FEB. 19, 2016 AT 9:41AM AND APPEARING BEFORE THE JUDGE AT 10:00 ON THE SAME DAY; 2.) THE ATTORNEY LIED ON THE MOTION FORM 2 WAYS STEVEN LEFT THE 345 N CANAL ADDRESS OCT 2015 ACCORDING TO ATTORNEY STEVEN SIGMOND, HE SAID HE ONLY RENTED SPACE FROM HIM AND HAVE NO IDEA WHERE HE IS TODAY ON THE PHONE AT THE ADDRESS;

FACTS: JUDGE MACCARTHY NEVER ASCERTAINED FROM THE ATTORNEY WHETHER STEVEN WAS NOTIFIED OR QUESTIONED ERNA AS TO WHY THE ATTORNEY WAS NOT IN COURT FEB. 19 ON THE MOTION CALL;

IF THE ABOVE IS NOT FUCKED UP ENOUGH HIS BIOLOGICAL DAUGHTER MY NIECE WHOM MY BROTHER WAS CRAZY ABOUT SIGNED AN AFFIDAVIT ATTESTING SHE WAS THE ONLY HEIR MY BROTHER HAD AND BECAUSE OF ALL OF THIS DEPRAVED SICKNESS THE JUDGE SIGNED AN ORDER ALLOWING HER MOTHER THE WOMAN (PATRICIA LOCKE) WHOM MY BROTHER DIVORCED TO BE THE OVERSEER OVER HIS ESTATE!

DUE TO JUDGE MAC CARTHY INCOMPETENCE AND JUDGE O'MALLEYS CALLOUS APPROACH TO COMPREHEND WHAT HAS HAPPENED TO MY BROTHER AND HIS FATHER IS ALL THE REASONS WHY PERSONS OF COLOR SHOULD NOT HAVE TO GO BEFORE IRISH JUDGES------IF NAZIS WERE ON THE BENCH AND JEWS HAD TO GO BEFORE THEM FOR JUSTICE AMERICA WOULD BE GOING TO WAR IN THEIR BEHALF ERADICATING EVERY NAZI ON THE BENCH!

THIS IS A PERFECT EXAMPLE #BLACKANDBROWNLIVESDONTMATTER HERE IN CHICAGO!

      

Saturday, September 6, 2014


Probate Court Judge of the Month Aicha Marie MacCarthy

As long as the Kawamotos and Solos of the world and their clones control the probate system, this injustice will continue. or Lucius Verenus, Schoolmaster, ProbateSharks.com 

Judge Aicha Marie MacCarthy

Here's a video of her campaigning in 2012:
https://www.youtube.com/watch?v=N2PQC8SxdUc


She was not recommended by the Cook County Bar or the Chicago Counsil of Lawyers.  

However, the DEMOCRATIC PARTY backed her and she replaced another judge unopposed (only one on the ballot),  
Aicha Marie MacCarthy - #181


Bar Association Evaluations

The Chicago Bar Association says:
Ms. Aicha Marie MacCarthy is “Not Recommended” for the office of Circuit Court Judge. Ms. MacCarthy was admitted to practice law in Illinois in 1997 and has held a variety of positions including: service as a Hearing Officer for the Chicago Housing Authority and Traffic Prosecutor for the City of Chicago from 1998-2001 and as an Assistant Commissioner for the City of Chicago from 2001-2008. Ms. MacCarthy has been self-employed from 2009 to the present. Ms. MacCarthy has a fine demeanor and presented well. However, Ms. MacCarthy lacks substantive legal experience in complex matters and has limited practice experience. In addition, Ms. MacCarthy has not had any jury trial or appellate experience. At this stage of her career, Ms. MacCarthy does not possess the requisite depth and breadth of legal experience to serve as a Circuit Court Judge.

The Chicago Council of Lawyers says:
Aicha M. MacCarthy was admitted to practice in Illinois in 1997. She is a sole practitioner handling a variety of criminal and civil law matters, with a focus on probate, real estate, and criminal law matters. She serves as a court-appointed guardian ad litem. From 2001 to 2008 she worked for the City of Chicago. From 2004 to 2008 she was an Assistant Commissioner at the Department of Aviation, and from 2001 to 2004 she was Assistant to the Mayor at the Office of the Mayor. In 2001, she was a Financial Planning Analyst at the Department of Planning and Development and from 1998 to 2001, she worked as a Staff Attorney/Hearing Officer at the Chicago Housing Authority. In 1998, she served as a Traffic Division Prosecutor at the Chicago Department of Law. She provides substantial amounts of time to pro bono programs. Ms. McCarthy is considered to have good legal ability with a substantial commitment to pro bono work. She has a good temperament and is considered diligent and hard-working. The Council is concerned that she does not have substantial experience in a variety of more complex litigation matters. The Council finds her Not Qualified for the Circuit Court at this time.

 IRISH JUDGES AS FAR AS JUSTICE IS CONCERNED FOR PEOPLE OF COLOR ARE WHAT THE NAZIS WERE TO THE JEWS YOU WILL NOT FIND A NAZI ON THE BENCH DISPENSING ANY TYPE OF JUSTICE FOR A JEW.

THE UNITED STATES ATTORNEY GENERAL LORETTA LYNCH NEED NOT JUST LOOK AT THE CORRUPT POLICE IN CHICAGO AT HOW THEY ARE MURDERING YOUNG MEN OF COLOR IN THEIR UNIFORMS BUT AT THE RACIST CORRUPT JUDGES APPOINTED TO THE BENCH WHO ARE UNQUALIFIED AND DEMONSTRATE AN ALLEGIANCE TO THE TERRORIST DEMOCRATS OF THE POLITICAL MACHINE.

OTIS LOVE CAN NOT SEE HIS DAUGHTER BECAUSE AN IRISH JUDGE WITH POLITICAL MUSCLE LIED ON HIM GRANTED AN ORDER OF PROTECTION TO HIS DECEPTIVE CORRUPT CHILD'S MOTHER.

MY LIFE HAS BEEN DESTROYED BECAUSE I STOOD UP TO ALDERMAN EDWARD BURKE AND ALL OF HIS RACIST CORRUPT JUDGES HE CONTROLS.

THEIR IS A BLATANT ATTACK ON PEOPLE OF COLOR BECAUSE
#BLACKAND BROWNLIVESDONTMATTER THE LAWYERS IN THIS CITY HAVE ADMITTED THIS FACT WHEN THEY FAILED TO OBJECT OR DENY THE PLEADINGS OF THE 2ND AMENDED COMPLAINT.

MY BROTHER LOST HIS LIFE IN MY CRUSADE SEEKING JUSTICE IN THE COURTS IT IS CLEAR HE WAS DECEIVED BY PEOPLE HE LOVED AND CARED FOR O LORD MY GOD IS THERE ANY HELP FOR THIS W. S.? LET THIS LIGHT SHINE EXPOSING DARKNESS IN ALL OF THE COURTS VINDICATING OUR FAMILIES FROM THESE INJUSTICES PASS THIS TORCH EXTENDING THE CABLE TOW.

___________________                       IN THE CIRCUIT COURT

OF
COOK COUNTY, ILLINOIS
PROBATE DIVISION
)
In Re Estate of                                               )                            2015 P 6209
Timothy David Lawrence                              )                            Cal 11
                                                                       )                            Hon.  Karen L. O’Malley    
                                                                       )                           Room   1814
                                                                       )                                      
                                                                       )                    
                                                                       )                                                        
________________________________________________________________________



                                                     NOTICE OF FILING                                
    YOU ARE HEREBY NOTIFIED that on Feb. 22, 2016 Heir Petitioner has filed his Emergency Motion Vacating Court Order of February 19th due to “Fraud” & a plethora of other unlawful acts w/Affidavit.
   
  
Chief Judge Timothy Evans                              Judge Moshe Jacobius
50 West Washington, Suite 2600                           50 West Washington, Suite 2403
Chicago, Illinois 60601                                          Chicago, Ill. 60601

 Judge Mary Lane Mikva                                   Clerk of Circuit Court, Dorothy Brown
50 West Washington, Suite                                    50 West Washington, Suite 1000
Chicago, Ill 60601                                                 Chicago, Ill. 60601

Atty. Gen, Lisa Madigan                            Asst. Atty. Gen Tyler Roland
100 West Randolph, Suite 1200                 100 West Randolph, Suite 1200
Chicago, Ill. 60601                                     Chicago, Ill. 60601
States Attorney, Anita Alvarez, Daley Center, Chg. Ill. 60601

Sec of State                                                  Asst Deputy Dir. Candace Cheffin
Asst Gen Counsel Terrence McConville     60 East Van Buren, 8th floor
100 West Randolph, Suite 500                       Chicago, Ill. 60601
Chicago, Ill. 60601      

CHA Mobility                                             CHA Mobility, HCP Counselors
Chris Klepper, Executive Dir.                     Tracey Robinson/Joann Harris
28 East Jackson Blvd.                                    4859 S. Wabash, Suite 2nd Floor 
Chicago, Ill 60604                                          Chicago, Ill. 60615    
                                                                   
CHA Mobility, Real Estate Specialist               Recorder of Deeds
Jessie McDaniel                                                    Karen Yarbrough
4859 S. Wabash                                                     118 N. Clark, Room 120
Chicago, Ill. 60615                                                  Chicago, Ill. 60602

City of Chicago, Department of Buildings       Sabre Investments
Christopher Lynch                                               120 West Madison Street
121 North LaSalle, Room 900                                Chicago, Ill 60601
Chicago, Ill. 60601

Seyfarth & Shaw
Anne D. Harris, Jeffrey K. Ross, Kyle A. Petersen, Sara Eber Fowler Suite 2400
131 South Dearborn
Chicago, IL. 60603

Chicago Housing Authority
Office of the General Counsel, Maria Sewell Joseph, Thomas B. King
60 East Van Buren
Chicago, IL. 60605

Cary G. Schiff & Associates                   Gordon & Rees LLP
Christopher R. Johnson, Yuleida Joy        Lindsay Watson, Christian T. Novay
134 N. LaSalle Street, Suite 1720             1 North Franklin, Suite 800
Chicago, Ill. 60602                                    Chicago, Illinois 60606

Stephan R. Patton, Mary E. Reuther, Rey A. Phillip Santos
Corp Counsel, Deputy Corp. Counsel, Asst Corp Counsel
30 N. LaSalle Street, Suite 800
Chicago, Ill 60602

Wilson Elser Moskowitz Edelman & Dicker LLP
Christian Novay
55 West Monroe, Street, Suite 3800
Chicago, Ill. 60603


Jessica Mallon, Gen Counsel CHA                    Roy Martinez Manager 420 East Ohio
60 East Van Buren                                                  420 East Ohio
Chicago, Ill 60601                                                   Chicago, Ill. 60611



Eve Aywaz, Sales Consultant                                   Sarah Aredia, Leasing Consultant
345 East Ohio                                                        420 East Ohio
Chicago, Ill. 60611                                                   Chicago, Ill. 60611  

John-Paul Loseto, Executive Manager                                       Attorney Fuhr Sheryle
345 East Ohio                                                                           414 S. Oak Park 1234
Chicago, Ill. 60611                                                                     Oak Park, IL 60302
                                                                                                 Fax# 312 263-4321                                                                                                  
Courtesy Copies:

 US Attorney                                            FBI Robert J. Holley
 Zachary T. Fardon                                2111 West Roosevelt Road
219 S. Dearborn, 5th floor                         Chicago, Ill. 60612
Chicago, Ill 60604

Hon Judge Neil Cohen
50 West Washington, Suite 2308
Chicago, Ill 60601

Mayor                                            Deputy Regional Adm., Field Office Dir.
Rahm Emanuel                                       Beverly E. Bishop
City Hall                                              77 West Jackson Boulevard
Chicago, Ill. 60601                              Chicago, Ill. 60604

Governor                                                 Hon Mark Kirk                                
525 South 8th St.                                       607 East Adams, Suite 1520
Springfield, Ill. 62703                               Springfield, Ill. 62701
                                                                    
Bruce Rauner
100 West Randolph
Chicago, Ill. 60601

Cook County President                               Cook County Sheriff
Toni Preckwinkle                                            Thomas J. Dart
118 N. Clark, Room 517                         Richard J. Daley Center, Room 701
Chicago, Ill. 60602                                        Chicago, Ill. 60602

Hon Dick Durbin                                 Hearing Officer CHA
525 South 8th St.                                       Frederick Bates
Springfield, Ill. 62703                           60 East Van Buren, Suite 900
                                                                Chicago, Ill. 60605
CERTIFICATE OF SERVICE

The undersigned hereby certifies that the above notice and all attachments were caused to be personally delivered, emailed or via facsimile or deposited in the U.S. mail to the above parties at the addresses provided before 5:00 pm on Feb. 22. 2016.




                   PLEASE BE ADVISED that on Mar. 2, 2016, Heir Petitioner will appear before Judge Karen L. O’Malley at 10:00 am in room 1814 and present said Emergency Motion.


                                                                         _________________________________
                                                                                Kristopher Mykel  Matthews, Pro Se

















Name             Kristopher Mykel Matthews
Attorney for   Pro Se
Address          326 East 56th Street
City, State      Chicago, Illinois 60637
Phone             708 543-6093
  
















 ________________________________________________________________________

IN THE CIRCUIT COURT
OF
COOK COUNTY, ILLNOIS
PROBATE DIVISION
)
In Re Estate of                                               )                           2015 P 6209
Timothy D. Lawrence                                   )                            Cal 11
                                                                       )                           Hon.  Karen L. O’Malley    
                                                                       )                           Room   1814
                                                                       )                                      
                                                                       )                    
                                                                       )                                                        
________________________________________________________________________



                                                             
                                                              EMERGENCY
                                                          HEIR PETITIONER
                      MOTION VACATING COURT ORDER OF FEB 19TH INSTANTER DUE TO FRAUD & A PLETHORA OF OTHER UNLAWFUL ACTS W/AFFIDAVIT

         Now comes Heir Petitioner Pro Se, Kristopher Mykel Matthews respectfully moves this court on his Emergency Motion Vacating Court Order of Feb. 19th Instanter, due to “Fraud” & a plethora of other unlawful acts with affidavit in the above entitled cause.

         Reasons in support of this motion are set forth in the attached affidavit.


                                                                                      Respectfully Submitted,

                                                                                         Kristopher Mykel Matthews

                                                                           By:____________________________

                                                                                        
                                                                                            Heir Petitioner Pro Se
                                                                                          326 E. 56th Street, Floor 1
                                                                                           Chicago, Ill. 60637
                                                                                            708 543-6093                                             


                                                                                                                                                                                    
STATE OF ILLINOIS       )
                                            )
COUNTY OF COOK         )



                                                              AFFIDAVIT

I Kris Matthews being first duly sworn on oath deposes and states as follows:

1      I am Kristopher Mykel Matthews, oldest Heir of father Timothy David Lawrence Pro Se.

A-    That my sister (Destinee Cross Petitioner) and her mother (EX WIFE) Patricia Locke filed under case 15 P 6613 on calendar 2 before Judge Mary Ellen Coughlan closed the Estate and reimbursed their money, they maliciously perpetrated fraud on the court forum shopped another judge Inducing Reliance upon the court by not informing the court of said son (brother) Kristopher Mykel Matthews existence and not properly noticing Antonetta Maxwell said Aunt and sister to the deceased. :  ILL. App. (1st Dist. 2000). A “VOID JUDGMENT OR ORDER” is one that is entered by a court lacking jurisdiction over the parties or the subject matter, or lacking the inherent power to enter the particular order of judgment, or where the order was procured by FRAUD- in re Adoption of E.L., 248 ILL. Dec. 171, 733 N.E. 2d 846, 315 ILL. App. 3d 137- Judgm 7, 16, 375.

                   INDUCING RELIANCE
To prevail in a cause of action for fraud, plaintiff must prove that defendant made statement of material nature which was relied on by victim and was made for purposes of inducing reliance, and that victim’s reliance led to his injury. Parsons V. Winter, 1986, 1 Dist., 491 N.E. 2d 1236, 96 ILL Dec. 776, 142 ILL App 3d 354, Appeal Denied.

     In Carter V. Mueller 457 N.E. 2d 1335 ILL. App. 1 Dist. 1983 The Supreme Court has held that: “The elements of a cause of action for fraudulent misrepresentation (sometimes referred to as “fraud and deceit” or deceit) are: (1) False statement of material fact; (2) known or believed to be false by the party making it; (3) intent to induce the other party to act; (4) action by the other party in reliance on the truth of the statement; and (5) damage to the other party resulting from such reliance.


2      That the family agreed to have Antonetta Maxwell to represent the interests of Timothy’s affairs, for reasons unknown said attorney originally representing this matter stopped moving forward, this is a very painful ordeal living through these areas of deception and the Police Detectives have no suspects;

3      That Heir’s father allegedly was paying child support of $800 or $900 a month for sister and sister had direct access to father’s account and they are exercising all sorts of criminal acts deceiving the Petitioner and other family members for monies and his possessions they are not rightfully entitled to;
A-    That records would reflect that when my sister turned 18 child support payments stopped and now my father is dead and sister signing documents she is the only Heir;

4      That Patricia Locke EX WIFE text my mom Janice Matthews “I did not communicate with Tim’s family and have absolutely no intention of doing so.” This was Wednesday or Thursday Feb. 17, 2016 only after my mom inquired about Dad’s remains or burial site his birthday is March 21, so that respects can be made at his burial site.

5      That Patricia Locke’s Ex Wife reply was “His daughter has his ashes, as she well should. While we understand that everyone wants to remember Tim we would appreciate the ability to continue to mourn him in private as would be true to his memory and in honor of our relationship with him while he was alive”  
A-    That never once did she send a text to my mom that, I was to appear in court Friday Feb. 19, 2016 begs the question did she have something to do with my father’s murder?

B-    That Patricia Locke Ex Wife stated in the text, “we did not receive the ashes until late last month. Why? Because it had to be paid for and since his family decided to exclude Destinee and myself from any and everything regarding her father, we took care of it ourselves”

6      Pursuant to the 2nd Amended Complaint, 2015 CH 01670 in Re Joe Louis Lawrence v. 420 East Ohio et al. Page 17, Par. 19, Page 18, Pars 20 B and C, Joe Louis (Uncle and Antonetta) allowed Patricia Locke’s stepfather (Parnell  to remove items from the garage Mercedes Benz and Honda along with a number of tools to keep from being destroyed and stolen in the event building was demolished;

  Supreme Court Rule [137] provides in pertinent part:

      If a pleading, motion, or other paper is signed in violation of this Rule, the court, upon motion or upon its own initiative, may impose upon the person who signed it, a represented party, or both, an appropriate sanction, which may include an order to pay to the other party or parties the amount of reasonable expenses incurred because of the filling of the pleading, motion, or other paper, including a reasonable attorney fee. Not only will the courts consider an award of sanctions for active false statements: failures to disclose material facts to the court can also justify an award of sanctions.

   BRUBAKKEN v. Morrison, No. 1-9-1670, 1992 Ill App. LEXIS 2144 (1st Dist. Dec. 30, 1992). Additionally, the fact that a false statement or omission is the result of an honest mistake is no defense to entry of a sanction. ID. To the extent that an individual lawyer has engaged in sanction able conduct, that lawyer’s firm can also be jointly and severally liable with the lawyer.


7      Said uncle Joe Louis was in charge of communicating to the media of any updates of father’s murder and Auntie was handling father’s house affairs speaking with the detectives; moreover, Joe Louis took care of all funeral matters where AR Leak was to handle the Memorial;  
A-    Said sister (Destinee) was so distraught to handle father’s affairs, so I went to AR Leak near and around September 27, we were to meet and sign the release of his body which was done.  

B-    During the week of Sept. 28, Joe Louis was to meet with the officials of AR Leak confirming the Memorial Service procedures and learned on Sept. 30, 2015 Patricia Locke and Destinee had signed for the release of Tim’s body to be sent to Gatling Funeral Home 105th Halsted unbeknown to anyone;

C-    That Police Detectives informed Aunt Antonetta that Parnell had made repeated phone calls to fathers employment seeking insurance policies information and was harassing Aunt for the same information;  

D-    That during the week prior Sept. 22-25 said uncle (Joe Louis) spoke with Destinee in great detail explaining the arrangements of the Memorial in which she agreed to the scheduled arrangements, uncle will testify to this fact and phone records would corroborate the duration of the timeline attesting to this veracity;

E-     Patricia Locke or Destinee never explained or discussed with grandmother (Patricia Mitchell) father’s mother any change or resentment of the Memorial service had Oct. 3, 2015, 6722 . S. Hermitage at 10:00am which was $800.00 because there was no body, that Bishop Connie Bansa of 1738 West Marquette Road, Chicago Il. could attest to the aforementioned;

F-     That Patricia Locke ex-wife for ungodly reasons held the remains of my father as hostage never releasing it or explaining why?

G-    That on Oct 3, 2015 a parking lot full of people showed up to pay their respects and was informed someone allegedly from Destinee’s family called AR Leak to say the family cancelled the Memorial service which was not true;

H-    Despite an attempt to sabotage the Memorial which still went forward Destinee, Patricia Locke and Parnell showed up and Parnell made remarks about said father but no one said anything to my grandmother or uncle they sat behind her in the church:

                   Fraud admissibility great latitude is permitted in proving fraud C.J.S. Fraud 104 ET Seg. Fraud 51-57. where a question of fraud and deceit is the issue involved in a case, great latitude is ordinarily permitted in the introduction of evidence, and courts allow the greatest liberality in the method of examination and in the scope of inquiry Vigus V. O’Bannon, 1886 8 N.E 788, 118 ILL 334. Hazelton V. Carolus, 1907 132 ILL. App. 512.

      
  

                                       FURTHER AFFIANTH SAYETH NAUGHT

Under penalties as provided by law pursuant to 735 1265 5/1 -109, the undersigned certifies that the statements set forth in this instrument are true and correct, except as to matters therein stated to be on information and belief and as to such matters, the undersigned certifies as aforesaid that he verily believe the same to be true.


                                                                                                Respectfully submitted,

                                                                                             Kristopher Mykel Matthews



WHEREFORE the aforementioned reasons Heir Petitioner respectfully Prays for the Relief of Vacating the Feb. 19, 2016 Order & Enforce Remands Body Attachments in accordance to Laws and Sanctions pursuant to Supreme Court 137 Instanter, due to father being Murdered & Fraudulent Acts;

2.)   For the entry of an Order Amending Heir ship of the Petitioner for such other relief and any other relief necessary as equity may require of which this court deem overwhelmingly just;


3.)    For the entry of an Order Allowing Patricia Mitchell (Grandmother) Father’s mother to be the authorized administrator of Timothy David Lawrence’s Estate Instanter;

4.)   For the reimbursement of all fees and costs associated in this matter.

Under penalties as provided by law pursuant to 735 1265 5/1 -109, the undersigned certifies that the statements set forth in this instrument are true and correct, except as to matters therein stated to be on information and belief and as to such matters, the undersigned certifies as aforesaid that he verily believe the same to be true.



                                                                                                Respectfully submitted,
                                                                                                    

                                                                                           Kristopher Mykel Matthews

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