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CASE NO. 01-14-00968-CV DEC2B20H
0pH£R .
CECILIA CLINKSCALE, § IN THE FIRST DIST
Appellant, §
§
VS. § COURT OF APPEALS
§
LEIROI MICKELE'DANIELS, §
Appellee. § HOUSTON, TEXAS
APPF.T T.ANT'S NOTICE OF APPEAL ON THE DENIAL OF PAUPER'S OATH
Comes Now, Cecilia Clinkscale, Appellant, inthe above styled civil action and files this Appellant's
Notice OfAppeal On The Denial OfPaper's Oath, and she seeks to show this Court the following:
I.
The trial courtin this civil action jis 113* District (Civil) Court, Harris County, Texas, Cause No.
2012-58724, Clinkscale v. Daniels (2012). ' • .-
II.
Monday, December 15, 2014, the trial-court signed the JudgmentAnd OrderSustaining Contest To
Pauper's Oath. See Exhibits 1 and 2.
III.
Appellant desires to appeal this adverse Order.
IV
Appellant's appeal is in the First Court ofAppeals, Houston, Texas, Case No^ 01-14-00968-CV.
v .
Appellant, Cecilia Clinkscale, is the party filing this Notice OfAppeal
Respectfully submitted,
Appellant,
In Propria Persona ,
Post Office Box 42718,
Philadelphia, Pennsylvania 19101
Telephone: (215) 828-4516
FacsimUe: (877)669-1745
Email: cclinkscale@grnail.com
CERTIFICATE OF SERVICE
Pursuantto Tex. R. App. P. 9.5(a)-(e), I, Cecilia Clinkscale^ Appellant, do hereby certify that on
this 23rd day of December 2014, a true and correct copy of the attached and foregoing Appellant's Notice
OfAppeal On The Denial OfPauper's Oath was served upon the recipients listed below inthe following
manner(s):
Mr. Christopher A. Prine,
Esquire,
Clerk of the Court,
Court of Appeals,
First District ofTexas,
301 Fannin Street,
Room 208,
Houston, Texas 77002-2066
Service: e-file.txcourts.gov and United
States Postal Service, first-class mail.
Mr. Leiroi Mickele' Daniels,
Esquire,
t '. ,• ..., L Mickele'Daniels & Associates,
• Arena Tower I,
Suite 580,
7322 Southwest Freeway,
Houston, Texas 77074
Service: e-file.txcourts.gov and United
States Postal Service first-class mail.
CECILIA C "'I LE
ellant,
ropria Persona
Dated: __J^4^^—-
Post Office Box 42718,
Philadelphia, Pennsylvania 19101
Telephone: (215)828-4516
Facsimile: (877)669-1745
Email: cclinkscale@gmail.com
EXHIBIT!
CAUSE NO. 2012-58724
CECILIA CLINKSCALE § IN THE DISTRICT COURT OF
§ fA
V. § HARRIS COUNTY, TEXAS
LEIROI MICKELE* DANIELS
§§ .
113TH JUDICIAL DISTRICT
PD(\X\
Cor\9
JUDGMENT AND ORDER SUSTAINING CONTEST TO PAUPER'S OATH
BE IT REMEMBERED that on this day came on to be heard the Contest to the Affidavit of Inability To
Give Cost Bond of Affiant, in the above numbered and entitled cause. The Court, after considering the
evidence and the argument ofcounsel, finds that Affiant CECILIA CLINKSCALE is able to pay all filing fees,
or to give security therefore, that the affidavit was not filed in good faith and that such contest should be and is
hereby sustained. Affiant was notified by certified mail return receipt requested and regular mail.
IT IS THEREFORE, ORDERED, ADJUDGED and DECREED, that the Contest to the Affidavit ofAffiant
CECILIA CLINKSCALE to proceed in this matter without payment ofthe costs ofappeal orany part thereof,
or to give security therefore is SUSTAINED.
IT IS FURTHER ORDERED that the District Clerk shall not proceed or process any further actions or
settings on this case unless and until the Affiant CECILIA CLINKSCALE pays and/or deposits in full all costs
of this appeal.
SIGNED this /£_ day of ^ZZ/SJerJ*^.jZ&lf
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SP
(X
- JUDGE PRESIDING
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£ Harrison Gregg, Jr.
^ Senior Assistant County Attorney
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I, Chris Daniel, District Clerk of Harris
County, Texas certify that this is a true and
correct copy of the original record filed and of
recorded in my office, electronically or hard
copy, as it appears on this date.
Witness my official hand and seal of office
this December 19. 2014
Certified Document Number: 63580561 Total Pages: 1
Chris Daniel, DISTRICT CLERK
HARRIS COUNTY, TEXAS
In accordance with Texas Government Code 406.013 electronically transmitted authenticated
documents are valid. If there is a question regarding the validity of this document and or seal
please e-mail support@hcdistrictclerk.com
EXHIBIT 2
CAUSE NO. 2012 - 58724
CECILIA CLINKSCALE, § IN THE DISTRICT COURT OF
Plaintiff, §
§
VS. § HARRIS COUNTY, TEXAS
§
LEIROI MICKELE' DANIELS, §
Defendant.
113th JUDICIAL DISTRICT
MOTION TO PROCEED IN FORMA PAUPERIS
I, Cecilia Clinkscale, Plaintiff, respectfully moves this Honorable Court for leave to proceed in
this matter either without payment ofall case and jury related fees, costs, and-or security orwith
reasonable firnmrwl assistance. Pursuant Tex. R. App. P. 20.1,1 have attached hereto anAFFIDAVIT
IN SUPPORT OF MOTION TO PROCEED IN FORMA PAUPERIS. Tex. R App. P. 20.1.
Respectfully submitted,
Plamfiff/Appellant,
In Propria Persona
Dated: Mi a°t«-l
Post Office Box 42718,
Philadelphia, Pennsylvania 19101
Telephone: (215) 828-4516
Facsimile: (877) 669-1745
Email: cclinkscde@gmail.com
CAUSE NO. 2012-58724
CECILIA CLINKSCALE, § IN THE DISTRICT COURT OF
Plaintiff, §
§
VS. § HARRIS COUNTY, TEXAS
§
LEIROI MICKELE' DANIELS, §
Defendant. § 113th JUDICIAL DISTRICT
AFFIDAVIT IN SUPPORT OF MOTION TO PROCEED IN FORMA PAUPERIS
TO THE HONORABLE JUDGE OF THIS COURT:
I, Cecilia Clinkscale, Plaintiff, being first duly sworn, deposes andstates that I amthepro se
litigant inthe above-captioned ease. I am submitting this here AFFIDAVIT insupport ofthe attached
MOTION TO PROCEED IN FORMA PAUPERIS. In doing so, I askto proceedin this said civil
action without being required to prepay case and related fees, costSj and-or to give security; with this, I
state that because ofmy poverty I am unable topay court costs. I verify that the forthcoming statements
madein thisAFFIDAVIT are true and correctto the best of my current information, knowledge, and
belief. 28 U.S.C. § 1746.
Further, I believe that I am entided to redress, andthus in compliance with Tex. R. App. P. 20.1,1 aver.
1. The nature and amount of mycurrent employment income, government entided income,
and other income:
I am currendy employed as anadjunct instructor, and I have been employed in this capacity since
Monday, January 6, 2013. See Exhibit 1. The State ofPennsylvania awards me a food allowance ofone-
hundred eighty-nine dollars zero cents ($189.00) each month through its Supplemental Nutrition
Assistance Program (SNAP). See Exhibit 2.
2. The income of my spouse and whether thatincome is available:
I am not married; therefore, I do not have spousalincome as a potential monetaryreserve.
3. Realand personalpropertythat I own:
I do not own any real property; I do own a 2009 Toyota Corolla motor vehicle.
4. Cash that I have on hold and amounts on deposit that I can withdraw:
Typically, I do not keep cash with me. I do have a savings account ($500.00) and a checking
($25.00) account through Wells Fargo Bank.
5. My other assets:
I do not haveanyassets and-ormaterial possessions of value aside from my motor vehicle.
6. The number andrelationship (tome) of dependents thatI have:
I do not have any dependents.
7. The nature and amount of my debts:
I currently have one Federal Direct (graduate student) Loan ($160,000.00) andone consolidated
American Education Services (undergraduate student) loan ($26,000.00). I currently oweBank of
America Visa $3,300.00, Chase Visa $1,095.00, and Discover Cards $3,000.00 (I use this credit card to
pay for fuel, to paymy monthly cellular telephone bill, and to pay for automobile insurance).
8. The nature and amount of my monthly expenses:
My monthly expenses are as follows: (a) Rent: $200.00 (I currendy reside my parent, and
rentis adjusted to income.); (b) Utilities; $75.00; (c) Cellular Phone: $65.00; (d) Virtual Fax: $10.00; (e)
Laundry: $40.00 (laundry and detergent); and (f) Automobile Insurance: $198.72.
I also have annual expenses for life insurance ($175.00) and United States Postal Services in
Pennsylvania ($144.00) and in Texas ($48.00).
At present, I have monthly job search expenses (printing, travel, stationary, ink, packaging, labels,
and postage)($25.00-50.00).
If I need to relocate back to Houston, Texas to prosecute this case, then I must consider
relocation expenses which include, but arenot limited to, fuel costs ($250.00-225.00), storage costs, and
costs for monthly housing accommodations.
9. My ability to obtain a loan for court costs:
Due to mylimited income, I am currently unable to secure a bankloan; it is myunderstanding
that for me to ensure a bank loan, I must have a means to repayboth the loan and anyinterests incurred
thereof.
10. Whether an attorneyis providing me with free legal services, without a contingent fee:
I am not receiving free legal services from an attorney, with or withouta contingentfee; hence, I
do not have anInterest on Lawyers Trust Accounts ("IOLTA") certificate. TRCP 145(c).
11. Whether an attorneyhas eitheragreed to pay or to advance court costs:
I am not receiving, and I have not received either any free legal services or any free assistance
from an attorney; hence, to date, no attorney has either agreed to payor has agreed to advance court
costs on my behalf.
Moreover, along with thisAFFIDAVIT IN SUPPORT OF MOTION TO PROCEED IN
FORMA PAUPERS, I have submitted "Exhibits 1-2" as "strict proof to verifymy current financial
status.
Respectfully submitted,
Plaintiff/Appellant,
In Propria Persona,
Dated: 1^ 30|4
Post Office Box 42718,
Philadelphia, Pennsylvania 19101
Telephone: (215)828-4516
Facsimile: (877) 669-1745
Email: cclinkscale@gmail.com
Signed under the penalty ofperjury on Tuesday. December 2. 2014. 28 U.S.C.§ 1746; Tex Gov.
Code Ann. § 602.003; 18 Pa. Cons. Stat. § 4902.
Signature
rJiflCl.uksCftk
Printed Name
On this o^A-d day of DJt^^V ^^ 2014,1 administered the above oath or
affirmation from the person named above. I am a Notary Public, and I am authorized to administer an
oath or affirmation pursuant to 28 U.S.C. § 1746. If I have a seal ofoffice that I am required by law to
affix to documents when administering an oath or affirmation, then I have included anoriginal
impression of myofficial seal below.
CAJ2
Signature of NotaryPublic
COMMONWEALTH OF PENNSYLVANIA
Notary Public,
NOTARIAL SEAL
In the County of Montgomery, SARA ANNE SOUCIE. Notary Public
State of Pennsylvania Lower Merion Twp., Montgomery County
MyCommlssionExplresApril16,2018
My commission expires : AfA. \C?tP£Ifr Notary Seal
VERIFICATION
STATE OF PENNSYLVANIA §
§
COUNTY OF MONTGOMERY §
BERFORE ME, the undersigned Notary Public, on this day personally appeared Cecilia
Clinkscale, who, being by me duly sworn on oath, did depose and say die following:
OATH
"My name is CECILIA CLINKSCALE. I am the Appellant in the above entitled case. I have
read the foregoing Affidavit In Support OfMotion To ProceedIn Foma Pauperis, and each statement offact
therein is true and correct. I have personal knowledge ofeach such fact stated therein."
FURTHER, AFFIANT SAYETH NOT.
•)hJk (H^/^r^
SUBSCRIBED TO AND SWORN BEFORE ME on the t^Wt day ofDecember 2014,
to certify which witness my hand and official seal.
\£(CXg
[Seal] NOTARY PUBLIC IN AND FOR THE
COMMONWEALTH OF PENNSYLVANIA STATE OF PENNSYLVANIA
NOTARIAL SEAL
SARAANNE SOUCIE, Notary Public
Lower Merlon Twp„ Montgomery County
My Commission Expires April 16,2018
vS&wx Souci t
Print Name:
My Commission Expires: /T)CM \ \ (o, ^UO
January 11, 2CrT4 Personal & Confidential
EXHIBIT 1
Cecilia Clinkscale
Dear Cecilia:
ITT Educational Services, Inc. and its subsidiaries (collectively "iTT/ESI") is pleased to confirm its offer ofat-will employment to you as
an Adjunct Faculty, with an effective start date of13 January 2014. This position isclassified as a temporary at-will employment status
position. This offer is contingent upon your execution ofTTT/ESI's Employee Confidentiality and Intellectual Property Agreement and
successful completion ofa background check and completion ofITT/ESI's new hire paperwork. The terms ofthis offer areas follows:
. Compensation: Course Rate of$1850 for each course section assigned during an academic quarter. The Course Rate is prorated
ifyou start orstop teaching any time after thestart oftheacademic quarter. Your first pay datewill be 31 Janaury 2014 and you will
be paid bi-weekly thereafter, lesssuch amounts required to bewithheld by law.
The Course Rate includes payfor successfully teaching all courses scheduled forthe academic term through the completion-of the
term, which includes any of your time devoted to course preparation, course Instruction, student advising, test and grade
administration and other administrative dutiesas assigned.
• Group Benefits: You will be eligible to participate in the Company's 401(k) plan on the first day of the month after 3 months of
employment, subjectto-the terms and conditions ofthe plan.
Your employment is conditioned upon your: (a) execution ofthe ITT Educational Services, Inc. Employee Confidentiality and Intellectual
Property Agreement and (b) completion of the Employment Eligibility Verification Form I-9 and presentation of documentation
establishing your identity and employment eligibility. By signing this offer tetter, you hereby represent arid warrant to ITT/ESI that you
are not subject to any employment, non-competition or other similar agreement or restriction that would prevent or interfere with
ITT/ESI's employment of you on the termsset forth herein.
Onceemployed, you will be expected tofamiliarize yourself with and be subject to ITT/ESI's policies, procedures, and practices, mostof
which are set forth in ITT/ESI's Employee Handbooklocated on the ITT/ESI Employee Portal.
As an employee you may be provided with a laptop computer, PDA, mobile phone and other company-owned equipment ("Equipment")
to allow you to perform your job duties. You may owe amounts from us in the form of advances or overpayments for work-related
expenses orwages. In the event your employment relationship with ITT/ESI endsfor any reason, and the Equipment and amounts are
not returned to ITT/ESI on or before yourfinal date of employment with ITT/ESI, your signature authorizes ITT/ESI to deduct from your
final paycheck (i) the replacement cost ofthe Equipment not returned and (ii) any other amounts you owe the Company including,
without limitation, those amounts owed as the result ofdiscretionary advances or wage overpayrhents, to the extent permitted byfederal,
state and local law.
This offer letter does not constitute an expressed or implied contract ofemployment betweenyou and ITT/ESI and in no way' guarantees
employment for a fixed duration. You will be employed by ITT/ESJ on an afewill basis, which rnearis that you are employed for an
indefinite period of time and that you or ITT/ESI may terminate your employment at any time. Any alteration of the at-will employment
arrangement described in this memo, including an agreement with you for employment for a specified period of time, or any other
agreement contrary to the employment arrangementset forth in this memo is invalid, and has no legal force or effectwhatsoever unless
any such agreement is signed by you and a duly authorized officer of ITT/ESI.
ITT/ESI cannot guarantee that you will teach particular course sections or that you will actually teach in any academic term. ITT/ESI
reserves the right to modify or cancel one or all of the course sections assigned to you at any time. Ifa course section cancellation or
employment termination occurs, ITT/ESI will pay a proratedCourse Rate for classes taught during the academic term priorto the date of
cancellation or termination. No compensation will be owed or paid to you upon or after the termination of your employment or
cancellation of course sections Unless ftWas earned priorto the date of termination or cancellation, except as provided by law.
Cecilia, ITT/ESI js excited about the prospect of your employment with ITT/ESI. Should you have any questions, or desire further
infonpationTpleaseJdo not hesitate to contactme.
t this offer of employment
Signed: Date: U aj)!^
Adjunct Instr jitor Offer Letter 07/11
Notice ID:
EXHIBIT 2
Pennsylvania
DEPARTMENT OF PUBLIC WELFARE
Mail Date: 09/04/2014
OFFICE OF INCOME MAINTENANCE
Record ID: " Telephone: 1-215-560-6100
Cecilia Clinkscale Notice ID:
COMPASS: The fast and easy way to apply for benefits
« www.corhpass.state.pa.us
Pennsylvania receives information from other stateand federal agencies toverify the information you
give them. If you misrepresent, hide, orwithhold facts which may affect your eligibility for benefits, you
may be required to repay your benefits, and you may be prosecuted and disqualified from receiving
certain future benefits.
Dear Ms. Clinkscale,
We received your request for the following benefits. If you have a question, please call the
number listed above.
4S3E3£sa«Ea!S^JA^V;r«*i2SaKaar.:
Whichbenefit? This is Msummary of your benefits.
You..can-find/more(li^rmation:lnsida:t^Jetteri.-
We are increasing your SNAPfrom $23.00 to $189.00
SNAP beginning September 15, 2014 because yourincome'has
changed.
Ifyou do not agree with this decision, fill out the enclosed Fair.
Hearing form, then mail it or give it to yourcaseworker by
November 29, 2014.
flFyoiThavela^^
please call our helpline at 1-800-692-7462. TDD Services are available at
1-800-451-5886.
If you do notagree with our decision, you have the right to a Fair Hearing. To learn more about Fair
Hearings, read Your Right to Appeal and to a Fair Hearing.
JDo you need legal help? You can get free legal help by visiting:
PHILADELPHIA LEGAL ASSISTANCE at 42 S. 15TH ST. STE 500, PHILADELPHIA, PA 19102or by
jcalling (215) 981-3800.
Record ID: Mail Date: 09/04/2014 Page 1 of 8 pai62
Notice ID:
Your SNAP Benefits
Who qualifies?
When? . ;HQtyr»Meh7j
CECILIA
Sep15,2014 $189^00 '
CECILIA: Inside this letter you can learn more about the income and deductionswe used to decide if
you qualify.
This is the law we used to make this decision: 7 CFR § 273.9
You will keep getting $189.00 monthly in SNAP until you have a change in your case. We will review
j your case in November 2014 to see ifyou still qualify. •
Your Household Income and Expenses
Here is a list of the monthly income and expenses that we have for your household.
CECILIA $1,336.05 $1,336.05
Employment: ITT
Total income $1,336.05 $1,336.05
Sixjpenses^ ''
•V"; .'•?:"?::.•/-*
tstiiffi•'•f^0^'$ii
UJ^ao has^pense,s? s_.; 09/2014 ,. J0/20H ,.._„„-_ -
CECILIA $30.00 $30.00
Transportation Costs
Total expenses $30.00 $30.00
Record ID: Mail Date: 09/04/2014 Page 2 of 8 pai«