Allied Collision Center, Inc. D/B/A Allied Collision & Auto Repair Storage v. Elouise Clark

on 12/31/2015 2:14:44 PM OFFICE OF STAN STANART FILED IN COUNTY CLERK, HARRIS COUNTY, TEXAS 14th COURT OF APPEALS CIVIL COURTS DEPARTMENT HOUSTON, TEXAS 12/31/2015 2:17:23 PM December 31, 2015 CHRISTOPHER A. PRINE Clerk Court of Appeals 301 Fannin Houston, Texas 77002 LETTER OF Court Docket Number: 1055362 Trial Court Number: Four (4) 1· y e. ELOUISE CLARK VS. ALLIED COLLISION CENTER, INC., ET AL. APPELLANT(S) APPELLEE(S) Judge: ROBERTA LLOYD I Appellee(s) Attorney: Dan R. Revier, No. 2405609 Jonathan Chatmon, No. 24068666 1445 North Loop West Suite 900 3()3 77008 Houston,Texas77036 Phone: (713) 637-4483 (713) 637-4603 _ E-Mail: Allied Collision Center, Inc., et al., appellant, filed a Notice of Appeal on December 18, 2015 from the Order on Default that was on September 16, 2015. The Clerk’s Record is due to your office on or before 18, 2015. /S/Joshua Alegria Alegria Deputy Clerk P.O. Box 1525 Houston, TX 77251-1525 (713) 755-64211>.o. 1525 I TX 77251-1525 I (713) 755-6421 1 of 1 1 FILED PM Stan Stanart gCounty HarrisCounty CAUSE NO.1055362 ELOUISE CLARK § IN THE COUNTY COURT OF LAW § § VS. § COURT NO. 4 (FOUR) ALLIED COLLISION CENTER, § INC., dba ALLIED COLLISION § & AUTO REPAIR STORAGE § HARRIS COUNTY,TEXAS · NOTICE OF APPEAL Defendant Allied Collision Center, Inc. wishes to the Default Judgment of the Court on September 16, 2015 to the First or Fourteenth Court of Appeals. Respectfully /s/ Dan R. Revier Dan R. Revier State Bar No. 2405609 . 1445 North Loop West, Suite 900 Telephone: 713-864-2393 Facsimile: 713-802-1339 dr.revier@justice.com CERTIFICATE OF SERVICE This is to that a true and correctcopy of this documenthas been served on the following counsel of record on December 14, 2015: Jonathan Chatmon L. Chatmon & Associates One Arena Place, Suite 580 7322 Southwest Freeway Houston, Texas 77074 Via (713) 995-4685 Telecopier/s Dan. R. Revier Dan R. Revier 2 Stan County . County Harris DOCKET 1055362 NO. ELOUISECLARK PLANTIFF § IN THE COUNTYCIVILCOURT vs. § At LAW NO. FOUR (4) REPAIR § STORAGE, DEFENDANT § HARRISCOUNTY,TEXAS ORDER ON PLAlNTlFF'S MOTION FOR DEFAULTJUDGMENT the day of 2015, the Court called this case for trial. , Plaintiff, ELOUISE CLARK, in person and through her attorney. Defendants, ALLIED COLLISION & AUTO REPAIR STORAGE, although duly served with citation did not appear. The determined it had jurisdiction over the subject matter and the parties to this proceeding. Plaintiff moved for default judgment, and, after considering the pleadings and papers on file in this case, as well as the evidence Plaintiff presented on damages and attorney fees, the court grants the motion. The court finds the following: 1. Plaintiffs filed their original petition in this suit on November 14, 2014. 2. Allied Collision & Auto Repair Storage was served with citation by the Defendant personally at their place of business on or about April 25, 2015, upon which this default judgment is granted. 3. The return of service was on file with this court for at least ten days before this judgment was rendered. 4. The deadline for defendant Allied Collision & Auto Repair Storage to file However, Defendant did not file an answer was May 18, 2015. an answer or a pleading and has not entered an appearance. 3 _ 5. Defendant’s Allied Collision & Auto Repair Storage last known address is 11429 AlliedCollision&Auto Repair Storage, Houston,Texas 77083. inTexas. isabusiness 6. Defendants 7. The damages in Plaintiff’s petition are unliquidated. The Plaintiff presented evidence of damages and proved the amount of damages of $25,000.00 and $2,500.00 incurredattorney fees. THEREFORE, the Court GRANTS Plaintiff’s motion for default judgment. The court further orders that execution issue for this judgment. The court denies all relief not granted in this judgment. / APPROVEDAS TO FORM: L CHATMON& ASSOCIATES By: IslJonathanChatmon Jonathan Chatmon 9894Bissonnet,Suite303 Houston,Texas77036 (713)637-4483 Telephone (713) 637-4603 _ TBA#24068666 Lchatmon.chatmon@gmaiI.com ATTORNEYSFOR PLAINTIFF ELOUISE CLARK 2 4