Case No. 04-14-00483-CV
ROWLAND J. MARTIN ) TEXAS COURT OF APPEALS
Appellant )
)
v. ) FOR THE FOURTH Dli
EDWARD BRAVENEC AND 1216 ) F'
WEST AVE. INC. )
Appellees ) BEXAR COUNTY, TEX&
ADVISORY TO THE COURT CONCERNING f
APPELLANT'S SUPPLEMENTAL MOTION FOR REHEARING
TO THE HONORABLE COURT:
Appellant Rowland J. Martin files this, his "Advisory To The Court Concerning
Appellant's Supplemental Motion For Panel Rehearing," to request an entry in docket records to
reflect the supplemental motion for rehearing. On June 3, 2015 at 5:06 pm, Appellant filed a
supplemental motion for rehearing to enlarge the motion for rehearing he originally filed on May
27, 2015. The supplemental motion cites Ramsey v. Dunlop, 146 Tex. 196, 205 S.W.2d 979
(1947) as authority for rehearing. At 5:41 pm on June 3, 2015, the Court entered its Order
denying the motion for rehearing without a disposition of Appellant's timely motion for
rehearing. The Clerk's office has advised that the Court will issue an order on the supplemental
motion. Therefore the Clerk is requested to reflect the supplemental motion and the attached
exhibits, including an order of the bankruptcy court and proof of service, in the docket records.
WHEREFORE, PREMISES CONSIDERED, Appellant prays that the Court grant relief
in all things, for such other relief both in law and in equity as he may be justly entitled.
Dated: June 5, 2015 Respectfully Submitted,
Rowland J. Ma
951 Lombrano
San Antonio, Tx 78207
(210)323-3849
GO
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Case No. 04-14-00483-CV
"■ " - - ' ~3 P" r
ROWLAND J. MARTIN )) TEXAS COURT OF APPEALS " w'*Oo
Appellant )
v. ) FOR THE FOURTH DISTRICT
)
EDWARD BRAVENEC AND 1216 )
WEST AVE. INC. )
Appellees ) BEXAR COUNTY, TEXAS
APPELLANT'S SUPPLEMENTAL MOTION FOR PANEL REHEARING
TO THE HONORABLE COURT:
Appellant Rowland J. Martin files this, his "Appellant's Supplemental Motion For Panel
Rehearing," pursuant to the Texas Citizens Participation Act and Tex. R. App. P. 33.1, in support
of which the following is shown:
BACKGROUND
By this supplemental motion reserving all prior evidence, authorities, and special
exceptions pursuant to Tex. R. Civ. P. 91, appellant enlarges his motion for rehearing on the
third issue of his appeal to allege that that the trial court abused its discretion in neglecting to
adjudicate certain fundamental jurisdictional defects in appellees' cause of action at the time it
rendered its order denying TCPA dismissal relief. On rehearing, the Court is requested to
enforce fundamental error doctrine as enunciated in Ramsey v. Dunlop, 146 Tex. 196, 205
S.W.2d 979 (1947). See generally, Declaration of Rowland J. Martin, supra at p. 20.
SUPPLEMENTAL STATEMENT OF THE CASE
The grievance from appellant's original motion for rehearing is that appellees failed to
produce transactional evidence disclosing the terms of the contract and specific identities of the
seller and the buyer, and have repeatedly neglected to negate the specifically identified elements
of the purchase money transaction that forms the basis of the lien claim noticed in the lis pendens
Notice(s): 04-14-00483-CV Page 1 of 1
From: coa4noticingservice
To: moroco676
Subject: Notice(s): 04-14-00483-CV
Date: Wed. Jun 3. 2015 5:41 pm
Attachments: ORDER ENTERED-TEST_FILECOPY.pdf (511K), ORDER ENTERED-TEST_FILECOPY.pdf (511K)
You have received notice(s) for the following case(s):
04-14-00483-CV
TC#2014-CI-07644
Rowland Martin, Jr. v. Edward L. Bravenec and 1216 West Ave., Inc.
Files
ORDER ENTERED-TEST_FILECOPY.pdf
ORDER ENTERED-TEST_FILECOPY.pdf
Thank you,
Keith E. Hottle. Clerk of Court
Fourth Court of Appeals
Do not reply to this message. If you have questions, please contact the Court at (210) 335-2635.
https://mail.aol.com/webmail-std/en-us/PrintMessage 6/5/2015
CERTIFICATE OF SERVICE
I mailed a copy of this "Advisory to the Court Concerning Appellant's Supplemental
Motion For Rehearing" to Attorney Glenn Deadman on June 5,2015.
Rowland J. Martinv
06-50829-rbk Doc#32 Filed 06/20/06 Entered 06/20/06 13:38:36
The relief described hereinbelow is SO ORDERED.
Signed June 20, 2006.
Ronald B. King
United States Bankruptcy Judge
United States Bankruptcy Court
Western District of Texas
San Antonio Division
IN RK:
Case No. 06-50829 RBK
MOROCO VENTURES, LLC,
Chapter 11
DEBTOR
ORDER ON MOTION FOR CONTEMPT
AGAINST LAW OFFICE OF McKNIGHT & BRAVENEC,
albert w. Mcknight, and edward l. bravenec
AND RESPONSE TO DEBTOR'S MOTION FOR CONTEMPT
AND MOTION FOR CONTEMPT AGAINST ROWLAND MARTIN
AND MOROCO VENTURES LLC
On June 19. 2006 the Motion for Contempt Against Law Office of McKnight &
Bravenec, Albert W. McKnight. and Kdward 1.. Bravenec, and the Response to Debtor's Motion
for Contempt and Motion for Contempt Against Rowland Martin and Moroco Ventures LLC,
came on for consideration by the Court. After hearing the evidence, and the arguments of
counsel, the Court makes the following orders. It is
ORDERED, that the Motion for Contempt Against Law Office of McKnight & Bravenec.
Albert \V. McKnight. and Edward L. Bravenec is denied without prejudice; and it is
FURTHER ORDERED, that the Motion for Contempt Against Rowland Manin and
Moroco Ventures LLC is denied without prejudice; and it is
06-50829-rbk Doc#32 Filed 06/20/06 Entered 06/20/06 13:38:36 Pg 2 of 2
FURTHER ORDERED, that the Substitute Trustee's Deed dated May 2, 2006 from
Louis D. Martinez to Albert W. McKnight and Edward L. Bravenec is VOID and the property
title to the following described real property is in the name of Moroco Ventures LLC:
Lots 1, 2, and 3, Block 50, New City Block 8806, LOS ANGELES HEIGHTS
ADDITION, situated in the City of San Antonio, Bexar County, Texas,
according to plat thereof recorded in Volume 150, Pages 284 - 286 of the Deed
and Plat Records of Bexar County, Texas, SAVE AND EXCEPT therefrom a
tract of land containing 0.00049 of an acre being 21.51 square feet, more or less,
same being out of Lot 1, said tract conveyed to the City of San Antonio by deed
dated October 10, 1991, recorded in Volume 5180, Page 1873, Real Property
Records of Bexar County. Texas.
Submitted by:
John M Tutt
10010 S«n Pedro. Suite 660
San Antonio, TX 78216-3804
(210)366-9676
(210)366-0412 fax
piLiU-vriqiiixnci.net
AMENDED CERTIFICATE OF SERVICE
I mailed a copy of "Appellant's Supplemental Motion For Rehearing" to Attorney Glenn
Deadman on June 5,2015.
Rowland J. Mart1
Restricted DeSvory Fee
(Endotsemant Requlrod}