Tuesday, August 30, 2011

Filed Example of Adultery Divorce in Desto Chancery Court Mississippi

 

CHANCERY      COURT      OF      DESOTO      COUNTY      MISSISSIPPI

Debora Kay Turner Adkins                                              Respondent / Applicant

VS.                                                                                     CAUSE NO. 07-05-0920                                                                           

xxxxxxxxxAdkins                                                            Movant / Respondent

 

    I. Motion for Re-Hearing

    &

II. Response to Re-Hearing

 

COMES NOW, Movant / Respondent, xxxxxxxxx Adkins, hereby files this his  Motion & Response and for good cause would show unto this respectful court the support facts as follows, TO WIT: 

 I. Motion for Extension of TRO

1.       That on 24th, Feb. 2010, this court entered a Restraining Order to restrain Deborah Kay Turner Adkins from coming around xxxxxxxxx Adkins and his current wife and their home as this court finds that irreparable harm may come to his family if this restraining order were not being entered.

2. That this court ordered the parties to report back in six months after entering of said Restraining Order.

3. That at this time the six month period has expired and we hereby request this respectful court to re-hear it in order to keep said restraining order in force for following reasons:

3-1. That Deborah Kay Turner Adkins and her similar have constantly made harass calls at a nearly daily base, to xxxxxxxxx Adkins and his current wife after entering of said order;

3-2. That Deborah Kay Turner Adkins has threatened physical harm to the current wife of xxxxxxxxx Adkins.

3-3. That Deborah Kay Turner Adkins has had individuals to call Mr. Adkins and Ms. Luo to harass and intimidate them, drive into our driveway at all hours of the night and having them bang on doors and windows to harass. These individuals included a convicted murderer, a Nicholas Maxwell that is said to still be incarcerated. All these events combined with the constant demand of high life insurance on Mr. Adkins and his children lends to the belief that Debora Kay Turner Adkins psychologically can not let go of controling Mr. Adkins or cease harassment of him or his current wife and continues to hope for the windfall a life insurance policy would bring.

3-4. That Debora Kay Turner Adkins abnormal psychology habitually threaten other individuals through years, such as that she threatened one of the over 10 men who had affair with her during her marriage with xxxxxxxxx Adkins, that she would kill this man if he would break up with her, during the period that this man and his wife just lost his new born infant, not to mention that she committed $35,000 fraud in a Western Store in Collierville TN (See Exhibit A-Adultery)

 

 

WHEREFORE, PREMISES CONSIDERED, for the reasons set forth above, this his Motion for Extension of TRO is well-taken and should be granted by this Respectful Court.

II

Response to Re-Hearing Filed

by

Deborah Kay Adkins

1.      That on Aug. 26th, 2010, on behalf of Debora Kay Turner Adkins, Vanessa Winkler Price entered a Motion for Re-hearing on a TRO of Feb. 26th, 2010, in which orders Movant / Respondent from having parties 4 children in presence of his current wife. ( Exhibit M - Motion )

2.      That said for re-hearing TRO required by Deborah Kay Turner Adkins, never have any sufficient evidence for said order, and the reason it was being entered was because her lawyer Vanessa Winkler Price not only committ fraud of four thousand dollar of litigation fee ( Aug.-Dec. 2009 ) etc. but also misuses the trust of this court. ( see Exhibit F-Fraud of Vanessa Winkler Price)

3.      That even though the father's side of said four children are high-educated but due to the facts of that their mother, Deborah Kay Turner / applicant herein, not only a Pseudo-Christians, but also during her marriage with xxxxxxxxx Adkins / Movant / Respondent herein, she is shamelessly proud of her adultery with several married men for financial / monetary benefits ( see Exhibit A – Adultery ), which is rarely difference from the determination of the prostitute and she even Abnormal Psychologicly threatened one of the over 10 married men who had affair with her when she was still in marriage with Mr. xxxxxxxxx /Movant/Respondent herein, that she would break this man's family, right after this man and his wife lost his new born infant, which obviously shows that Deborah Kay Turneris has a disability of  basic reasoning & logic, which is a result of her low level of education.

4.  That Mr. xxxxxxxxx Adkins, and his current wife, xxxxxxxx who has a master degree in MBA., & a B.A in Education, whose both parents are medicine doctors / Aero Space Engineer, should not be restrained in any way as other parents/step-parents due to the fact that there is not any history of abuse or violence against her own son or any other child except the hearsay of her ex-husband wishing to continue the cherade for his own case and financal gain as Debora Kay Turner Adkins is attempting to do to the extreme detriment of her own chidren.

5.  That there were several medical situations of said children which put Mr. xxxxxxxxx Adkins in a dilemma, causing unneccesary  stress and disruptions in Deobora Kay Turner Adkins's own childrens lives just for the harassment of their father / her ex-husband / Movant / Respondent herein.

6. That Mr. xxxxxxxxx Adkins and his current wife, Ms. xxxxxxxx,  have their own 3 month old daughter, who is learning French & Spanish as foreign language beside learning Chinese and English as mother-tongue, and both her parents are trying to help her establish life goal of becoming a Aero Space Engineer or Medicine Doctor as her grandparents through attending 1 of top 100 universities of US as soon as she completes high school. Thus, Time & Engergy Wise, Ms. xxxxxxxx is more than happy that Deborah Turner keeps her children with herself if Mr. xxxxxxxxx were not her husband.

7.     Wherefore, for the medical safety and the best interest of children, Deborah Kay Turner's application for continues of restraining xxxxxxxxx Adkins from having parties children in the presence of his current wife not over one hour / without his immediate supervise shall be denied / rejected with the reasons listed above which proves sufficiently that her request is Vexatious & Abnormal Psychology. And that Movant hereby also prays for such and other further general relief that he/she entitles and as in the premises that have appeared met and proper and so on.

 

Respectfully Submitted

آن وبيل آدكنز

_____________________________

xxxxxxxxx ADKINS

Movant / Respondent

(always make sure put your name and address or po box here,

Otherwise court can dismiss it)

 

 

 

CERTIFICATE OF SERVICE

 

I, , do hereby that I have this day hand delivered, U.S. mail, postage paid, and or emailed, faxed a true and correct copy of above and foregoing, to the usual business address of opposing party(ies): Ms. Vanessa Winker Price, POB 1406, Southaven, MS 38671, 662-536-1616, 662-349-2000

This the day of September 6, 2010.

 آن وبيل آدكنز

_______________________________________

Adkins

(always make sure put your name and address or po box here,

Otherwise court can dismiss it)




Junior     Auxiliary 





Filed Example of Adultery Divorce in Desto Chancery Court Mississippi

 

CHANCERY      COURT      OF      DESOTO      COUNTY      MISSISSIPPI

Debora Kay Turner Adkins                                              Respondent / Applicant

VS.                                                                                     CAUSE NO. 07-05-0920                                                                           

xxxxxxxxxAdkins                                                            Movant / Respondent

 

    I. Motion for Re-Hearing

    &

II. Response to Re-Hearing

 

COMES NOW, Movant / Respondent, xxxxxxxxx Adkins, hereby files this his  Motion & Response and for good cause would show unto this respectful court the support facts as follows, TO WIT: 

 I. Motion for Extension of TRO

1.       That on 24th, Feb. 2010, this court entered a Restraining Order to restrain Deborah Kay Turner Adkins from coming around xxxxxxxxx Adkins and his current wife and their home as this court finds that irreparable harm may come to his family if this restraining order were not being entered.

2. That this court ordered the parties to report back in six months after entering of said Restraining Order.

3. That at this time the six month period has expired and we hereby request this respectful court to re-hear it in order to keep said restraining order in force for following reasons:

3-1. That Deborah Kay Turner Adkins and her similar have constantly made harass calls at a nearly daily base, to xxxxxxxxx Adkins and his current wife after entering of said order;

3-2. That Deborah Kay Turner Adkins has threatened physical harm to the current wife of xxxxxxxxx Adkins.

3-3. That Deborah Kay Turner Adkins has had individuals to call Mr. Adkins and Ms. Luo to harass and intimidate them, drive into our driveway at all hours of the night and having them bang on doors and windows to harass. These individuals included a convicted murderer, a Nicholas Maxwell that is said to still be incarcerated. All these events combined with the constant demand of high life insurance on Mr. Adkins and his children lends to the belief that Debora Kay Turner Adkins psychologically can not let go of controling Mr. Adkins or cease harassment of him or his current wife and continues to hope for the windfall a life insurance policy would bring.

3-4. That Debora Kay Turner Adkins abnormal psychology habitually threaten other individuals through years, such as that she threatened one of the over 10 men who had affair with her during her marriage with xxxxxxxxx Adkins, that she would kill this man if he would break up with her, during the period that this man and his wife just lost his new born infant, not to mention that she committed $35,000 fraud in a Western Store in Collierville TN (See Exhibit A-Adultery)

 

 

WHEREFORE, PREMISES CONSIDERED, for the reasons set forth above, this his Motion for Extension of TRO is well-taken and should be granted by this Respectful Court.

II

Response to Re-Hearing Filed

by

Deborah Kay Adkins

1.      That on Aug. 26th, 2010, on behalf of Debora Kay Turner Adkins, Vanessa Winkler Price entered a Motion for Re-hearing on a TRO of Feb. 26th, 2010, in which orders Movant / Respondent from having parties 4 children in presence of his current wife. ( Exhibit M - Motion )

2.      That said for re-hearing TRO required by Deborah Kay Turner Adkins, never have any sufficient evidence for said order, and the reason it was being entered was because her lawyer Vanessa Winkler Price not only committ fraud of four thousand dollar of litigation fee ( Aug.-Dec. 2009 ) etc. but also misuses the trust of this court. ( see Exhibit F-Fraud of Vanessa Winkler Price)

3.      That even though the father's side of said four children are high-educated but due to the facts of that their mother, Deborah Kay Turner / applicant herein, not only a Pseudo-Christians, but also during her marriage with xxxxxxxxx Adkins / Movant / Respondent herein, she is shamelessly proud of her adultery with several married men for financial / monetary benefits ( see Exhibit A – Adultery ), which is rarely difference from the determination of the prostitute and she even Abnormal Psychologicly threatened one of the over 10 married men who had affair with her when she was still in marriage with Mr. xxxxxxxxx /Movant/Respondent herein, that she would break this man's family, right after this man and his wife lost his new born infant, which obviously shows that Deborah Kay Turneris has a disability of  basic reasoning & logic, which is a result of her low level of education.

4.  That Mr. xxxxxxxxx Adkins, and his current wife, xxxxxxxx who has a master degree in MBA., & a B.A in Education, whose both parents are medicine doctors / Aero Space Engineer, should not be restrained in any way as other parents/step-parents due to the fact that there is not any history of abuse or violence against her own son or any other child except the hearsay of her ex-husband wishing to continue the cherade for his own case and financal gain as Debora Kay Turner Adkins is attempting to do to the extreme detriment of her own chidren.

5.  That there were several medical situations of said children which put Mr. xxxxxxxxx Adkins in a dilemma, causing unneccesary  stress and disruptions in Deobora Kay Turner Adkins's own childrens lives just for the harassment of their father / her ex-husband / Movant / Respondent herein.

6. That Mr. xxxxxxxxx Adkins and his current wife, Ms. xxxxxxxx,  have their own 3 month old daughter, who is learning French & Spanish as foreign language beside learning Chinese and English as mother-tongue, and both her parents are trying to help her establish life goal of becoming a Aero Space Engineer or Medicine Doctor as her grandparents through attending 1 of top 100 universities of US as soon as she completes high school. Thus, Time & Engergy Wise, Ms. xxxxxxxx is more than happy that Deborah Turner keeps her children with herself if Mr. xxxxxxxxx were not her husband.

7.     Wherefore, for the medical safety and the best interest of children, Deborah Kay Turner's application for continues of restraining xxxxxxxxx Adkins from having parties children in the presence of his current wife not over one hour / without his immediate supervise shall be denied / rejected with the reasons listed above which proves sufficiently that her request is Vexatious & Abnormal Psychology. And that Movant hereby also prays for such and other further general relief that he/she entitles and as in the premises that have appeared met and proper and so on.

 

Respectfully Submitted

آن وبيل آدكنز

_____________________________

xxxxxxxxx ADKINS

Movant / Respondent

(always make sure put your name and address or po box here,

Otherwise court can dismiss it)

 

 

 

CERTIFICATE OF SERVICE

 

I, , do hereby that I have this day hand delivered, U.S. mail, postage paid, and or emailed, faxed a true and correct copy of above and foregoing, to the usual business address of opposing party(ies): Ms. Vanessa Winker Price, POB 1406, Southaven, MS 38671, 662-536-1616, 662-349-2000

This the day of September 6, 2010.

 آن وبيل آدكنز

_______________________________________

Adkins

(always make sure put your name and address or po box here,

Otherwise court can dismiss it)




Junior     Auxiliary 



Filed " Fraud & Misrepresentation Made by Ms Vanessa Winkler Price MS bar 99716:"

 

CHANCERY      COURT      OF      DESOTO      COUNTY      MISSISSIPPI

Debora Kay Turner Adkins                                              Respondent / Applicant

VS.                                                                                     CAUSE NO. 07-05-0920                                                                           

xxxxxxxxxAdkins                                                            Movant / Respondent

Exhibit F

Fraud & Misrepresentation

Made by Ms Vanessa Winkler Price

MS bar 99716:

 

Hon. Judge Lundy's Real ruling:

 

Ms. Adkins, .....I am ordering attorneys' fees to be paid in the sum of $4,000. And that will be paid within 120 days of the day of this order.

 

Order Misrepresented By Ms Vanessa Winkler Price contains Fraud

 

That Respondent/Counter-Petitioner shall pay Petitioner/Counter-Respondents Attorney's fees to Vanessa Winkler Price in the amount of $4000 to be paid within One hundred and twenty (120) days from the date of this order which was never stated by The Honorable Judge Mitchell Lundy.  

 

 

Omitted / Changed Order

Made by Ms Vanessa Winkler Price

 

Judge's Ruling: Debora Kay Turner Adkins is hereby restrained from going near the residence of xxxxxxxx Adkins and xxxxxxxxxxxxxxxxxxxxxxxx, and near xxx  based on facts that Debora Adkins for threatening each person in the past and the only exception is when she transfers children.

 

That Ms Vanessa Winkler MS bar 99716 fraud omit above mentioned Restraining Order which allows her Client Counter-Respondent / Petitioner harass the current wife of Respondent, Ms. xxxxxxxx by constantly calling her cell phone in the mid – night by herself & her friends; hitting the door of the residence of Ms. xxxxxxxx in the mid-night; stalking Ms. Anfei Luo numerous times, and all these are because Vanessa Winkler Price omitted said restraining order which cause extreme stress to Ms. xxxxxxxx & as a result her doctor diagnoses that she has ABORTION THREATEN. And that here, Ms. xxxxxxxx reserves her right to Pursue Ms. Vanassa Winkler Price's civil and criminal liability.

--



Filed "Adultery of Deborah Adkins" in Desoto Chancery Court MS 38668

 In 3rd district Chancery Court of Hernando Desoto Mississippi

Debora Kay Turner Adkins                        Respondent / Applicant

VS.                           CAUSE NO. 07-05-0920                                                                           

xxxxxxxxxAdkins                                    Movant / Respondent

Exhibit A

Adultery of Deborah Adkins


 (Your Honor: pls. be noticed that date of this letter is during defendant Debora Adkins' marriage with Mr. Adkins)

Email Activity

From:

 DebAdkins@comcast.net

Date:

 Fri, 13 Apr 2007 17:02:39 +0000

To:

 trooper1861@mycingular.blackberry.net

CC:

 

BCC:

 

Subject:

 

 

Gene, I'm going to address your email to me as of this morning.  I am sorry Becky got your phone records.  I am going through the same thing.   It is like you are in oh shit mode.  

 

 No I am not OK with laying off the contact for a while.  I can not just unplug.   Are you that OK with it?

Why are you so concerned about my marriage?  Why do you need me to work on my marriage for you as my friend!!!????   Gene, rid your conscious of my being alone.  I have been that way most of my life and have ALWAYS been able to survive.  I will continue.  Is you wanting me to work on my marriage your way of telling me that we would be nothing more that friends with benefits and for me not to get to involved? 

 

I was miserably wrong to believe you truly love me.  I fooled myself into believing it was more that just friends.  Like I have told you from the beginning.  I have carried a torch for you for YEARS!!!  You chose someone else than just as you do now.  I thought this was my chance.  I am not mad at you but at myself.  Just know that I wanted to show you just how much I care about you and that is why I did what I have done. 

 

You did say from the beginning you did not want to hurt me.  Am I truly that disconnected that I thought you were letting your feelings grow for me also.  Be HONEST!!!!  Was I just filling the gap in your marriage?   Yes, you have rekindaled a spark in me that has not been there for a while.  I would like to think I made you feel like a man who was wanted, lust after and desired.   I was so amazed at how connected you were to how I feel.  I did not have to tell you, you just knew. We are alot a like!!!!!!!!  I fell for you just like you fell for that other woman.  Remember how you felt?  You say you can walk away from all that you have and be happy.  Well I have done so and I have been happy.  This time I am more scared but I know in the end I will be OK. 

 

You say for me to understand and that you thought your email would come across in the wrong way.  Well not only did your email but so did our conversation.  You talked just like you had no emotions or feelings involved.  If I am wrong I wish you would set me straight!!!!   Is it not hard for you to not talk or see me??? Can you just turn away from me that easy?  Are you that afraid of losing Becky?  If you are than you need to reevaluate why you are looking outside your marriage for the rest.  I was not and am not looking  to feel a void. 

 

Gene, I enjoy seeing you and being with you.  I truly like your friends and am proud of you.  I hate to see you settle.  I feel like this is what you are doing.  Am I wrong? 

 

I am NOT sorry I gave myself to you!!!!!!!  never will be!!!   I did it for the right reasons!!!! Please correct me if I am wrong. Enlighten me.  You said you would call later to let me know if we could meet and talk.  Please just help me get clarity. 




How to File Fraud Against Your Lawyer who screws you up

Filed " Complain of Fraud made by Vanessa Winkler Price (Southaven MS)

 

 

 

 

 

 



A Filed Example of Adultery Divorce in Desto Chancery Court Mississippi 38668

 

CHANCERY      COURT      OF      DESOTO      COUNTY      MISSISSIPPI

Debora Kay Turner Adkins                                              Respondent / Applicant

VS.                                                                                     CAUSE NO. 07-05-0920                                                                           

xxxxxxxxxAdkins                                                            Movant / Respondent

 

    I. Motion for Re-Hearing

    &

II. Response to Re-Hearing

 

COMES NOW, Movant / Respondent, xxxxxxxxx Adkins, hereby files this his  Motion & Response and for good cause would show unto this respectful court the support facts as follows, TO WIT: 

 I. Motion for Extension of TRO

1.       That on 24th, Feb. 2010, this court entered a Restraining Order to restrain Deborah Kay Turner Adkins from coming around xxxxxxxxx Adkins and his current wife and their home as this court finds that irreparable harm may come to his family if this restraining order were not being entered.

2. That this court ordered the parties to report back in six months after entering of said Restraining Order.

3. That at this time the six month period has expired and we hereby request this respectful court to re-hear it in order to keep said restraining order in force for following reasons:

3-1. That Deborah Kay Turner Adkins and her similar have constantly made harass calls at a nearly daily base, to xxxxxxxxx Adkins and his current wife after entering of said order;

3-2. That Deborah Kay Turner Adkins has threatened physical harm to the current wife of xxxxxxxxx Adkins.

3-3. That Deborah Kay Turner Adkins has had individuals to call Mr. Adkins and Ms. Luo to harass and intimidate them, drive into our driveway at all hours of the night and having them bang on doors and windows to harass. These individuals included a convicted murderer, a Nicholas Maxwell that is said to still be incarcerated. All these events combined with the constant demand of high life insurance on Mr. Adkins and his children lends to the belief that Debora Kay Turner Adkins psychologically can not let go of controling Mr. Adkins or cease harassment of him or his current wife and continues to hope for the windfall a life insurance policy would bring.

3-4. That Debora Kay Turner Adkins abnormal psychology habitually threaten other individuals through years, such as that she threatened one of the over 10 men who had affair with her during her marriage with xxxxxxxxx Adkins, that she would kill this man if he would break up with her, during the period that this man and his wife just lost his new born infant, not to mention that she committed $35,000 fraud in a Western Store in Collierville TN (See Exhibit A-Adultery)

 

 

WHEREFORE, PREMISES CONSIDERED, for the reasons set forth above, this his Motion for Extension of TRO is well-taken and should be granted by this Respectful Court.

II

Response to Re-Hearing Filed

by

Deborah Kay Adkins

1.      That on Aug. 26th, 2010, on behalf of Debora Kay Turner Adkins, Vanessa Winkler Price entered a Motion for Re-hearing on a TRO of Feb. 26th, 2010, in which orders Movant / Respondent from having parties 4 children in presence of his current wife. ( Exhibit M - Motion )

2.      That said for re-hearing TRO required by Deborah Kay Turner Adkins, never have any sufficient evidence for said order, and the reason it was being entered was because her lawyer Vanessa Winkler Price not only committ fraud of four thousand dollar of litigation fee ( Aug.-Dec. 2009 ) etc. but also misuses the trust of this court. ( see Exhibit F-Fraud of Vanessa Winkler Price)

3.      That even though the father's side of said four children are high-educated but due to the facts of that their mother, Deborah Kay Turner / applicant herein, not only a Pseudo-Christians, but also during her marriage with xxxxxxxxx Adkins / Movant / Respondent herein, she is shamelessly proud of her adultery with several married men for financial / monetary benefits ( see Exhibit A – Adultery ), which is rarely difference from the determination of the prostitute and she even Abnormal Psychologicly threatened one of the over 10 married men who had affair with her when she was still in marriage with Mr. xxxxxxxxx /Movant/Respondent herein, that she would break this man's family, right after this man and his wife lost his new born infant, which obviously shows that Deborah Kay Turneris has a disability of  basic reasoning & logic, which is a result of her low level of education.

4.  That Mr. xxxxxxxxx Adkins, and his current wife, xxxxxxxx who has a master degree in MBA., & a B.A in Education, whose both parents are medicine doctors / Aero Space Engineer, should not be restrained in any way as other parents/step-parents due to the fact that there is not any history of abuse or violence against her own son or any other child except the hearsay of her ex-husband wishing to continue the cherade for his own case and financal gain as Debora Kay Turner Adkins is attempting to do to the extreme detriment of her own chidren.

5.  That there were several medical situations of said children which put Mr. xxxxxxxxx Adkins in a dilemma, causing unneccesary  stress and disruptions in Deobora Kay Turner Adkins's own childrens lives just for the harassment of their father / her ex-husband / Movant / Respondent herein.

6. That Mr. xxxxxxxxx Adkins and his current wife, Ms. xxxxxxxx,  have their own 3 month old daughter, who is learning French & Spanish as foreign language beside learning Chinese and English as mother-tongue, and both her parents are trying to help her establish life goal of becoming a Aero Space Engineer or Medicine Doctor as her grandparents through attending 1 of top 100 universities of US as soon as she completes high school. Thus, Time & Engergy Wise, Ms. xxxxxxxx is more than happy that Deborah Turner keeps her children with herself if Mr. xxxxxxxxx were not her husband.

7.     Wherefore, for the medical safety and the best interest of children, Deborah Kay Turner's application for continues of restraining xxxxxxxxx Adkins from having parties children in the presence of his current wife not over one hour / without his immediate supervise shall be denied / rejected with the reasons listed above which proves sufficiently that her request is Vexatious & Abnormal Psychology. And that Movant hereby also prays for such and other further general relief that he/she entitles and as in the premises that have appeared met and proper and so on.

 

Respectfully Submitted

آن وبيل آدكنز

_____________________________

xxxxxxxxx ADKINS

Movant / Respondent

(always make sure put your name and address or po box here,

Otherwise court can dismiss it)

 

 

 

CERTIFICATE OF SERVICE

 

I, , do hereby that I have this day hand delivered, U.S. mail, postage paid, and or emailed, faxed a true and correct copy of above and foregoing, to the usual business address of opposing party(ies): Ms. Vanessa Winker Price, POB 1406, Southaven, MS 38671, 662-536-1616, 662-349-2000

This the day of September 6, 2010.

 آن وبيل آدكنز

_______________________________________

Adkins

(always make sure put your name and address or po box here,

Otherwise court can dismiss it)



Claim Your Compensation from Vanessa Winkler Price (Southaven MS)



This Public Notice is to notify that in the past Ten (10) years, if your case involves in Vanessa Winkler Price ( thereafter we say She/Her ) as Opposing Lawyer in Mississippi State, Please ask Transcript from court reporter of the judge who ruled your case and compare it with the order that judge signed.


Most of the time, you will find
she changes judge's order to harm clients for her own financial gain, if that's your case, file a "Motion for correcting fraud" against her in Administrative Office of US Courts to claim Money Damage ( best choice) and  MS Supreme Court ( almost useless) ( forget about Mississippi Bar Association which is completely useless) to ask her to be DISBARMENT and you also can file Complaint in Desoto Chancery Court where her biz address is to claim Financial Damage and request court to order her to pay you Compensation.

To verify if your case eligible for re-open, please go Home and look for "
How to Re-Open a Closed Case" . In general, it dose not matter how old the case is as far as aforesaid case involves in fraud, then it can be re-opened.

Contact of court reporter:
Chancery Court Judges & Support Staff
Special Remind: Don't believe what your lawyer and or court clerk tell you anything like: we Verify the Order before Obtaining signature from judge. Most of the time, Your Lawyer even the case Judge is In it and None of the time court clerk verifies any order. ( State wide Chancery Court Clerks contact )

If you have Ongoing case involves in Vanessa Price, tell your lawyer you need to proofreading Prepared Court Order before it's being signed by Judge and appeal the case if your lawyer obtained signature of the judge but you find there is /are harmful difference(s) between Court Order and transcript( or what you remembered what judge said in court).
Should you be interested in filing Class Action against her and or your case judge, please contact here.

Note of Appeal need to be done in 30 days after Court Order Signed.
Appeal Brief: If you hire lawyer to do appeal, none of them will complete it until 6 mothes later. Not in MS.
Click here or for Appeal Procedure & where / how to complain against a judge.

 
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