Sandy Schinzel v. Charles G. Tate

Sandy Schinzel V. Lt. Col. Charles G. Tate . n --- ■■:;;.' To The Honorable Bexar County Judge Petitioner/Defendant Pro Se Sandy Schinzel seeks Urgent immediate relief until the Countycourt i ff hear the Writ of Supersedeas and Motion for Stay that is scheduled for April 2, 2015. Petitioner/Defendant requests an Emergency Stay of any and all Orders, Judgements, Writs of Possession, from Justice of Peace Court 4, place 2 Judge Yolanda Uresti. Petitioner/Defendant Sandy Schinzel respectfully pleads that the court act on this Urgent Emergency Motion today or it will cause irreparable severe damages to the Petitioner/Defendant Sandy Schinzel. Petitioner/Defendant filed a petition for Writ of supersedeas and Motion to Stay in Bexar County Court to Stay the enforcement of the Justice of the Peace, Judge Yolanda Uresti's judgement dated February 27, 2015, and the Judge's repeated denials for Defendant to Appeal to County Court for relief and Judge Uresti's possible Writ of Possession. The eviction is not for nonpayment of rent. The eviction is for "holding over." The landlord has accepted rent for January, February and March 2015 after accepting January's rent on December 30, 2014 at 4:30p.m. Landlord accepting rent legally forfeits her right to evict. Petitioner/Defendant rents are all paid in full and current for March and for the past 16 months. This is a wrongful, malicious retaliation eviction fay landlord. Petitioner/Defendant Sandy Schinzel has been denied her legal right to appeal the Justice of the Peace Judges decisions and many other legal rights before Justice of the Peace, Court 4, 2 Judge Yolanda Uresti. Justice of the Peace Judge Uresti will not allow this case to leave her control. The landlord's sole goal is to destroy Petitioner/Defendant Sandy Schinzel'z excellent long term rental history and credit to place Petitioner/Defendant Sandy Schinzel homeless with two dogs and four cats, her personal items and expensive furniture on the street. Landlord's malicious actions are in retaliation. The landlord began these malicious actions affecting Petitioner/Defendant Sandy Schinzel when she refused to fix the broken toilet in the main bathroom, even after Petitioner/Defendant Sandy Schinzel had estimates from several places for the repairs. The landlord also refused to insert window air conditioning units and removed Petitioner/Defendant Sandy Schinzel's son's personal unit in his bedroom. The landlord, additionally refused to install wall lighting in the master bedroom, fix or replace a broken dishwasher, as well as the heating element in the master bathroom in Petitioner/Defendant Sandy Schinzel's apartment. On January 7, 2015 the Petitioner/Defendant Sandy Schinzel's had her 2004 Jeep Liberty Renegade stolen as well as her rent money. The theft was committed by Daniel C. Ramirez. If the Urgent Emergency Stay is not granted Petitioner/Defendant Sandy Schinzel and her expensive furniture and belongings will be placed on the street and Petitioner/Defendant Sandy Schinzel will suffer irreparable harm and extreme damages. Petitioner/Defendant Sandy Schinzel's rent is paid for March and Petitioner/Defendant Sandy Schinzel and pets do not have anywhere to go if placed on the street by Justice of the Peace Judge Yolanda Uresti on March 25, 2015. Petitioner/Defendant is handicapped with viral Encephalitis resulting in moderate hearing loss. Petitioner/Defendant Sandy Schinzel has suffered injuries and duress of two abusive partners; Stephen Becker Case # tyC07566948 and Joe V. Martinez. The latter case was dismissed by Judge Monica Gonzales on December 19,2014. Petitioner/Defendant does not have any money, does not work because of disability injuries. WHEREFORE, Petitioner/Defendant Sandy Schinzel respectfully pleads Justice of the Peace 4, Justice of the Peace Judge Yolanda Uresti's orders, judgements, Writs of Possession until the Honorable Court can hear the Writ of Supersedeas and Motion to Stay on April 2,2015 at 9:30am as scheduled. Respectfully Submitted, SanflySchinzel 8210 Glenfox Windcrest.TX 78239 210-429-2645 AFFIDAVIT OF SANDY SCHINZEL I, SANDY SCHINZELM state and swear under oath that the facts on the URGENT EMERGENCY MOTION for IMMEDIATE RELIEF to STAY are true. BEFORE ME on this day personally appeared SANDY SCHINZEL stated that FACTS are true. J Sandy Schinzel 210) 429-2645 THE STATE OF TEXAS, COUNTY OF BEXAR SWORN AND SUBCRIBED BEFORi ME ON tk 7l(ih(\ Not I JJ£0L ^GL1 ' , - ■ I 3 we^ i 1 O"> * - \ o- ' -u-ta : v2o ; i 1 Qw ~T - *• ttss^tt=xx=&F*2=2£S2tt^£ d hv la UTILITIES: Unless otherwise mentioned herein, all utilities used in or about said premises shall be paid for by Tenant. Executed this the ISth .day of December 2012 Charles Tate (Owi Sandy Schirel Mil Vista Butte. San Antonio. TX 78239 SSN: 464^1-7788 ssn: XXX-XX-XXXX OWNER- TENANT TENANT