Cause No. 0S i%-o0311-CU
IN THE FIFTH COURT OF APPEALS
DALLAS COUNTY, TEXAS FILED IN
Cour nf Appeals
052018
In re Debris Phi/bps, Petitioner/Appellant.
clettt
Porshala Phillips, Respondent,
William Brent, Respondent
0
IN THE DISTRICT COURT DALLAS COUNTY, TEXAS
254’” FAMILY COURT HONORABLE DARLENE EWING
TRANSFERED FROM
3O3’’ COURT HONORABLE DENNIESE GARCIA
DF-1 8-00541
APPELLANT’S AMENDED NOTICE OF APPEAL
Respectthlly and humbly submitted,
/s/: Debris Phillips
Pro Se Petitioner
3101 Luxar Way
Dallas. Texas 75233-1363
Phone: (469) 67 1-89’
Email: debris a2
8
PETITIONER HUMBLYBESEECHIIVG ORAL ARGUMENT
Honorable Justices of the Fifth Court of Appeals for Dallas, Texas:
COMES NOW the petitioner, self-represented, and files this Notice of Appeal from
the judgment signed by the Court on June 04, 2018, appeals to the Fifth Court of
Appeals at Dallas County, Texas.
ORDER APPEALED AND ATTACHED As:
ORDERS (06.04.2018): Honorable Darlene Ewing (254th District Court)
1) Order denying petitioner’s motion for leave to file subpoena school records of
children (Bookmark Order pg. 1);
2) Order denying petitioner’s motion for leave to file subpoena City of Dallas
and DPD’s production of records/files/notes regarding the truth of
premeditated Green Oaks (10.25.2013), First Interrogatories of all 5 persons
involved with direct personal knowledge of prearranged DPD Meeting of
10.25.2013; and compelled testimony of the same 5 persons with personal
knowledge of premeditated Green Oaks(Bookmark Order pg. 2);;
3) Order withholding petitioner’s motion to stay granted motion to confer with
children on the record for the record (Bookmark Order pg. 3)and
4) Order Granting City of Dallas’s motion to deny petitioner’s motion to compel
testimony, first interrogatories, and productions of records regarding
premeditated Green Oaks (Bookmark Order pg. 4) -
Respectfully and humbly submitted,
Is!: Debris Phillips
Pro Se Petitioner
3101 Luxar Tay
Dallas, Texas 7523&1363
Phone: (469) 671-8941
Email: delorisphilJ4*n360@maildp
(
Date: 06.04; ,0
*
CAUSE NO.: DF-18-00541
ORDER FOR PETITIONER’S MOTION FOR LEAVE
TO SUBPOENA TESTIMONY, PRODUCTION
OF RECORI)S/NOTES/FILES AND FIRST INTERROGATORIES
After considering Appellant, Debris Phillips’ motion for leave to subpoena testimony of Dallas’
Mayor Michael Rawlings, Dallas Police Officer Cpl. Herbert Cotner (Badge No. 5611), Dallas
Police Officer David Ferguson (Badge No. 8170), Dallas Police Officer Aaron Gajkowski
(Badge No. 8796) and the notes of Dallas Police Social Worker Marilu Velei-Thom; production
of Dallas Police Department, Dallas City Attorney’s Office and the Dallas City Secretary
documents/records and first interrogatories for same persons SAID COURT:
,
themoJth
GRANTS the motion in part (please see separately attached motions for leave to file).
GRANTS the motion in fill.
SIGNED on of June, 2018
(P$IDENG JUDGE
CAUSE NO.: DF-18-00541
ORDER FOR PETITIONER’S MOTION FOR LEAVE TO SUBPOENA CHILDREN’S
SCCHOOL RECORDS FAflENDANCE IrARDIES, ABSENCES), DISCWLANARIAN
FILES, REFERRALS AND AND/ALL COUNSEUNG. RECORDS
FOR ENTIRE DISO SCHOOL YEAR 2017-18
After considering petitioner Deloñs Phillips’ motion SAID COURT:
DENIES the.aidtion___________
GRANTS the motion in part (please see separately attached motions for leave to file)_________
GRANTS the motion in flill____________
SIGNED on of June, 2018
4Th
(1SDII’JG JUDGE
CAUSE NO.: DF-18-00541
ORDER FOR PETITIONER’S MOTION TO STAY GRANTED
MOTION TO CONFERENCE WITH CHILDREN
ON THE RECORD FOR THE RECORD
After considering petitioner Debris Phillips’ motion SAID COURT:
rs \ OH
S the motion
attached motions for leave to file)_________
S the motion in
SIGNED on of June, 2018
42a a
(SWNG JUDGE
CAUSE NO. DF-18-00541
DELORIS PHILLIPS § IN THE DISTRICT COURT
Plaintiff, §
§
§ DALLAS COUNTY, TEXAS
V. §
§
PORSHALA PHILLIPS, El
AL,
§ 254th JUDICIAL DISTRICT
Defendants
ORDER DENYING PLAINTIFF’S MOTION FOR LEAVE TO FILE SUBPOENA
REOUESTING PRODUCTION OF DOCUMENTS AND LEAVE TO FILE
INTERROGATORIES
On this day, the Court heard Plaintiffs “Motion for Leave to File Subpoena Requesting
Production of Documents and Leave to File Interrogatoñes for Each Person with Up, Close and
Personal Knowledge/Truth of October 25, 2013”. After consideration of the arguments of
Plaintiff, the Court finds that Plaintiffs motion should be DENIED.
IT IS THEREFORE ORDERED. ADJUDGED AND DECREED that ‘Plaintiffs’
Motion for Leave to File Subpoena Requesting Production of Documents and Leave to File
Interrogatones for Each Person with Up, Close and Personal Knowledge/Truth of October 25,
2013” is DENIED.
Plaintiff is ordered not to file any other motion or request for depositions or discovery
from the City of Dallas, its officials, or employees and no such motion or request will be
considered or set for hearing, the City and/or its officials or employees do not need to respond to
or answer any motion or discovery request, and any motion or request shall be deemed denied, if
filed.
Signed the dayofjune 2018. ‘i)OOt c_acJ.ç
Presiding Judge
STATE OF TEXAS
DALLAS COUNTY
DECLARATION UNDER PENALTY OF PERJURY
SWORN UNDER 28 U.S.C. 1746
IN SUPPORT OF
APPELLANT’S AMENDED NOTICE OF APPEAL
My name is Debris Phillips, my date birth is 03.20.1967, and my address is 3101 Luxar
Tay, Dallas, Texas 75233-1363, USA. The last four of my social security number is 8896.
I have personal knowledge of amended notice of appeal.
A written declaration under penalty of perjury can be used in place of an Affidavit.
Mansions in the Forest, L.P. v. Montgommery Gty., 365 S.W.3d 314, 316 (Tex.2012) and
Tex. Civil Prac. & Rem. Code § 132.001.
E)CUTED on the 04th day of June 2018.
Respectfully and humbly submitted,
/s/ Debris Phillips
Pro Se Petitioner
3101 Luxar Way
Dallas, Texas 75233-1363
Phone: (469) 671-8941
Email: (I QI( )11S4) h jiLl) s36( Q iail.con
Date: 06.04.2%W
CERTIFWATE OF CONFERENCE
Petitioner verifies she stated for the record on the record on the record that Notice
of Appeal would be filed for all Orders denying motions.
Respectfully and humbly submitted,
Is/ Debris Phillips
Pro Se Petitioner
3101 Luxar Way
Dallas, Texas 75233-1363
Phone: (469) 671-8941
Eniail dc1OIiS1)hilliPS3G(Y&1 [,cA
Date: 06.04.20 8— -c
CERTIFWATh OF SERVICE
Petitioner Debris Phillips certifies that true and correct copy of aforementioned
writ of mandamus was forwarded to Respondent Porshala Phillips
d.I.Lfl1J.L1’id]hLcIilll and Public Defender Jennifer
Perkins via her email Jenniftr.perkins’adHllascounlv.org Monday, June 04, 2018.
Porshala Phillips dnnvelmoss@vahoo.con porshacIaflas?D,tinai1.curn
Jennifer Perkins Jun nifer.perkinsdallascountv.org
/s/: Debris Phillips
Pro Se Petitioner
3101 Luxar Way
Dallas, Texas 75233-1363
Phone: (469) 671-8941 Dt
Email: (IcJo1’jsl)hj flip,’-3t, ä)inai r
Date: 06.04.201&