Fraudulent Conveyance Legal Challenge

Summary

In Massachusetts, Karen Merritt is contesting a writ of execution related to a fraudulent conveyance. She seeks an emergency stay and extension to provide detailed affidavits. Key arguments include improper service, reliance on financial advisors, and evidence of court-ordered child support payments. The case involves complex issues of fraud and misrepresentation, with significant financial implications. Consider consulting a local attorney for personalized advice.

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can you polish- - Plaintiff's Answer to Defendant's Expert Interrogatory, which includes Ms. Horton’s testimony, establishes that the entities engaged in fraudulent activities, including , extensive commingling of funds, sham transactions, tax evasion, misclassification of funds, supporting the claims of fraud and mismanagement. Exhibit *. page * cover page, page * Entities engaging in extensive commingling of funds, page * Entities engaging in sham transactions, page *, Mr cronan's status as a one third partner.
Sure! Here's a polished version of your text:
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Plaintiff's Answer to Defendant's Expert Interrogatory
Ms. Horton's testimony establishes that the entities engaged in fraudulent activities, including:
- Extensive commingling of funds
- Sham transactions
- Tax evasion
- Misclassification of funds
These actions support the claims of fraud and mismanagement.
Refer to Exhibit *:
- Page *: Cover page
- Page *: Entities engaging in extensive commingling of funds
- Page *: Entities engaging in sham transactions
- Page *: Mr. Cronan's status as a one-third partner
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can you usue a stronger word than barring as they threw mr. Cronan out of the buisness like some dog. Ms. Horton was expected to testify in the Superior Court case in Rhode Island, which Mr. Cronan filed in * after Mr. Tiernan changed the locks at * fountain st. barring Mr. cronan from entering their business .
Sure! Here’s a polished version with a stronger word:
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Ms. Horton was expected to testify in the Superior Court case in Rhode Island, which Mr. Cronan filed in * after Mr. Tiernan changed the locks at * Fountain St., expelling Mr. Cronan from entering their business.
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can you polish this especially the money sentence - In *, Mr. Cronan filed a case in Superior Court in Rhode Island. Due to barely being able to take care of life’s necessities and subsequent health issues, he rently missed a hearing, resulting in the case being dismissed with prejudice. Opposing counsel filed fabricated financial documents into the case, as evidenced by Ms. Horton’s forensic report. He intends to file a motion for fraud on the court based on these documents. This abuse of process has blocked him from pursuing substantive claims, as Mr. Grieco and Mr. Tiernan continually deny their partnership with him, seeking to defraud him and the Court's creditors of their millions of dollars windfall that they obtained in * by manipulating the bankruptcy court.
Case Rating: *
Sure! Here's a polished version:
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In *, Mr. Cronan filed a case in Superior Court in Rhode Island. Due to struggling with life’s necessities and subsequent health issues, he recently missed a hearing, leading to the case's dismissal with prejudice. Opposing counsel submitted fabricated financial documents, as evidenced by Ms. Horton’s forensic report. He plans to file a motion for fraud on the court based on these documents. This abuse of process has prevented him from pursuing substantive claims, as Mr. Grieco and Mr. Tiernan continually deny their partnership with him, seeking to defraud him and the Court's creditors of the millions of dollars they obtained in * by manipulating the bankruptcy court.
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Can you polish this . It needs clearity.- *. Conclusion: Based on the pattern of fraudulent conveyances, malicious conspirarcy , and the latest overt act wherby the Court's Order Granting Motion for Approval of Sale: Document showing the court's reliance on false representations about the default judgment sale's fairness and the buyer's good faith under * U.S.C. *(m). - * Fountain Street LLC's Motion for Issuance of Writ of Execution, section * : Document showing false statements under Rule *(b)(*), indicating fraud on the court. The motion falsely claimed that * Fountain Street LLC was a "Creditor" and requested issuance of a Writ of
Case Rating: *
Here's a polished version of your text:
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*. Conclusion
- The pattern of fraudulent conveyances and malicious conspiracy, along with the latest overt act, shows the Court's Order Granting Motion for Approval of Sale relies on false representations regarding the default judgment sale's fairness and the buyer's good faith under * U.S.C. *(m).

- * Fountain Street LLC's Motion for Issuance of Writ of Execution (Section *) includes false statements under Rule *(b)(*), indicating fraud on the court. The motion falsely claimed that * Fountain Street LLC was a "Creditor" and requested the issuance of a Writ of Execution.
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Execution when in fact they were a debtor involved in a fraudulent conveyance to defraud a creditor, Karen Merritt Ms. Croan requests the court to recognize this latest overt act of mortgage fraud and bankruptcy farud and contest the Writ of Execution, ensuring that his family's home is not seized by a the judgement based on fraud and not a 'good faith" buyer as required by the order granting the approval of the sale of the judgment.
Case Rating: *
It seems like you need assistance with a legal document related to a fraudulent conveyance and other fraudulent actions. Here’s a polished version of your text:
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Execution of Fraudulent Conveyance Contest
Karen Merritt requests the court to recognize the latest overt act of mortgage fraud and bankruptcy fraud. She contests the Writ of Execution to ensure that her family's home is not seized based on a judgment founded on fraud, rather than a "good faith" buyer as required by the order approving the sale.
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Is there anything else you need help with?
There are two defendants Karen merritt will lose the family home. James cronan has laready lost his business and building to the ergreios acts of his partners and now he wants the Court to stop the lastest overt act before further harm is done including his family or his fromer wife Karen Merritt losing her home .
Case Rating: *
It sounds like a complex case involving fraudulent activities and significant financial harm. Here's a polished version of your text:
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Legal Issue:
Karen Merritt risks losing her family home, while James Cronan has already lost his business and building due to the egregious acts of his partners. Mr. Cronan seeks the Court to halt the latest overt act to prevent further harm, including the loss of the family home of his former wife, Karen Merritt.
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Could you clarify if there’s any specific legal action you need assistance with, like filing a motion or understanding a particular law?
can I add exhibit * Order granting Morion for Approval Of Sale Of Judgements Pursuiant to * U.s.C section * , that the Buyer is a good faith purchaser, that the sale is in the best interest of the bankruptcy estate and its creditors.
Case Rating: *
You can add Exhibit * to your legal documents. Here’s how you might phrase it:
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Exhibit *: Order Granting Motion for Approval of Sale of Judgments
Pursuant to * U.S.C. Section *, the Court's order states:
- The Buyer is a good faith purchaser.
- The sale is in the best interest of the bankruptcy estate and its creditors.
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Is there anything more specific you need help with regarding this exhibit?
Can you please make the final conclusion with the exhibit.
Case Rating: *
Sure, here's the final conclusion with the exhibit:
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*. Conclusion:
- The pattern of fraudulent conveyances and malicious conspiracy, along with the latest overt act, shows the Court's Order Granting Motion for Approval of Sale relies on false representations regarding the default judgment sale's fairness and the buyer's good faith under * U.S.C. *(m).
- * Fountain Street LLC's Motion for Issuance of Writ of Execution (Section *) includes false statements under Rule *(b)(*), indicating fraud on the court. The motion falsely claimed that * Fountain Street LLC was a "Creditor" and requested the issuance of a Writ of Execution when in fact they were a debtor involved in a fraudulent conveyance to defraud a creditor, Karen Merritt.
- Karen Merritt requests the court to recognize the latest overt act of mortgage fraud and bankruptcy fraud. She contests the Writ of Execution to ensure that her family's home is not seized based on a judgment founded on fraud, rather than a "good faith" buyer as required by the order approving the sale.
- James Cronan has already lost his business and building due to the egregious acts of his partners. He seeks the
now from - 'James Cronan has already lost his business and building due to the egregious acts of his partners. He seeks the" onward
Case Rating: *
It sounds like you're dealing with a complex case involving fraudulent activities and significant financial losses. Here's the final part of your conclusion:
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James Cronan has already lost his business and building due to the egregious acts of his partners. He seeks the Court to halt the latest overt act to prevent further harm, including his former wife, Karen Merritt, losing her family home.
Exhibit *: Order Granting Motion for Approval of Sale of Judgments
Pursuant to * U.S.C. Section *, the Court's order states:
- The Buyer is a good faith purchaser.
- The sale is in the best interest of the bankruptcy estate and its creditors.
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Please revise if needed:*. Relief Requested: *. Set Aside Writ of Execution: - Ms. Cronan requests the Court to set aside the Writ of Execution based on the fraudulent activities and misrepresentation by Mr. Grieco, Mr. Tiernan, and * Fountain Street LLC. *. Challenge Default Judgment: - Ms. Cronan seeks to challenge the default judgment under Rule *(b)(*) on the grounds of fraud, misrepresentation, and misconduct, and under Rule *(b)(*) for any other justifiable reason.
Case Rating: *
Sure, here's a polished version of your relief requested section:
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Relief Requested:
*. Set Aside Writ of Execution:
- Ms. Cronan requests the Court to set aside the Writ of Execution due to fraudulent activities and misrepresentation by Mr. Grieco, Mr. Tiernan, and * Fountain Street LLC.
*. Challenge Default Judgment:
- Ms. Cronan seeks to challenge the default judgment under Rule *(b)(*) on grounds of fraud, misrepresentation, and misconduct.
- Additionally, she challenges under Rule *(b)(*) for any other justifiable reasons.
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Would you like to add or adjust anything else?
*. Extension Request: - Ms. Cronan requests an extension of 7 days. February 4th, *, to provide a detailed affidavit in support of his motion. The extension is necessary to accurately document and prepare all relevant information related to the coercion, threats, extortion illegality experienced in this case. *. Emergency Stay: - Ms. Cronan requests an emergency stay to prevent the judgment from being registered. *. Evidentiary Hearing: - If more evidence is needed or there are questions, he requests a stay until the hearing or the establishment of an evidentiary hearing to review the 'clear- and convincing' evidence.
Case Rating: *
Here's the revised version with your additional requests:
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Relief Requested:
*. Set Aside Writ of Execution:
- Ms. Cronan requests the Court to set aside the Writ of Execution due to fraudulent activities and misrepresentation by Mr. Grieco, Mr. Tiernan, and * Fountain Street LLC.
*. Challenge Default Judgment:
- Ms. Cronan seeks to challenge the default judgment under Rule *(b)(*) on grounds of fraud, misrepresentation, and misconduct.
- Additionally, she challenges under Rule *(b)(*) for any other justifiable reasons.
*. Extension Request:
- Ms. Cronan requests an extension of 7 days, until February 4th, *, to provide a detailed affidavit in support of her motion. The extension is necessary to accurately document and prepare all relevant information related to the coercion, threats, and extortion experienced in this case.
*. Emergency Stay:
- Ms. Cronan requests an emergency stay to prevent the judgment from being registered.
*. Evidentiary Hearing:
- If more evidence is needed or there are questions, she requests a stay until
only from section * onward without the borderline.
Case Rating: *
*. Evidentiary Hearing:
- If more evidence is needed or there are questions, she requests a stay until the hearing or the establishment of an evidentiary hearing to review the 'clear and convincing' evidence.
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- Under Rule *(b)(*), the court may relieve a party from a final judgment for fraud, misrepresentation, or misconduct by an opposing party. Is it the judge's descretionary. Can i change from may to shall?
Case Rating: *
Under Rule *(b)(*), it is within the judge’s discretion to relieve a party from a final judgment for fraud, misrepresentation, or misconduct by an opposing party. You cannot change "may" to "shall" as the rule is designed to give the judge the authority to decide based on the specifics of each case.
Would you like more detailed information on how to argue for relief under Rule *(b)(*)?
is the format conclusion, relief reguested and then attachments?
Case Rating: *
Yes, the format usually follows this structure:
*. Conclusion
*. Relief Requested
*. Attachments/Exhibits
Would you like any additional help with your document?
i places the exhibits in the argument section and I also placed them after the Relief Requested. Is this ok?
Case Rating: *
It's generally acceptable to place exhibits in both the argument section and after the Relief Requested section. Placing them in the argument section helps illustrate and support your points in real-time, while placing them again after the Relief Requested section provides a comprehensive reference for the court.
Would you like more guidance on organizing your exhibits or any other part of your document?
in * when the court declared the I defualted on a judgement. Three argument. *. I dont believe that i personally got served. Only the other party to the lawsuit got served. *. I knew that Mr. Cronan my former husband was in the bankruptcy court and believed that he had our financia advisor handeling the case and being well represented. Lastely having since learned that I am being sued for $*,* allegedly for "stealing" from the estate is not true. The money that I recieved from Mr. Cronan had been court order from our divorce decree.
Case Rating: *
It sounds like you have substantial grounds to challenge the default judgment. Here are the key points to consider:
*. Service of Process:
- Ensure you were personally served as required by law.
- Only serving the other party may not meet the legal requirements.
*. Representation Assumption:
- Believing that your financial advisor and husband were handling the case may not be sufficient, but it can be argued as a reason for your non-appearance.
*. Alleged Theft:
- Present evidence that the money you received was court-ordered from your divorce decree.
Would you like to know more about how to present these arguments effectively?
Here is key points as to what we have drafted so far can you include the updated information:Motion to Contest Writ of Execution and Request for Emergency Stay Now comes Defendant, Karen Merritt, respectfully submitting this Motion to Contest the Writ of Execution issued against her in the case related to Classic Display, Inc. (Case No: *:*-bk-*) by the U.S. Bankruptcy Court for the District of Rhode Island. She also requests an emergency stay to prevent the judgment from being registered. Additionally, she requests an extension of 7 days, February *, *, to provide a detailed affidavit in support of her motion. The extension is necessary to accurately document and prepare all relevant information related to the coercion, trickery, and pressure she experienced. In support of this motion, she presents the following:
Case Rating: *
Certainly! Here's the updated and polished version of your document:
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Motion to Contest Writ of Execution and Request for Emergency Stay
Now comes Defendant, Karen Merritt, respectfully submitting this Motion to Contest the Writ of Execution issued against her in the case related to Classic Display, Inc. (Case No: *:*-bk-*) by the U.S. Bankruptcy Court for the District of Rhode Island. She also requests an emergency stay to prevent the judgment from being registered. Additionally, she requests an extension of 7 days, until February *, *, to provide a detailed affidavit in support of her motion. The extension is necessary to accurately document and prepare all relevant information related to the coercion, trickery, and pressure she experienced.
In support of this motion, she presents the following:
*. Malicious Civil Conspiracy:
- The purchase of the default judgment is the latest overt act under the elements of malicious civil conspiracy. Mr. Cronan alleges that this purchase is part of a broader conspiracy to commit mortgage fraud, bankruptcy fraud, and other related crimes. All of the entities involved are conspiring to retain their ill-gotten gains by manipulating the courts, such as
*. Evidence and Civil Cover Sheet: - Attached: Civil cover sheet establishing the complaint filed by * Fountain Street at Superior Court on January *, *. Exhibit *. - Importance: This document serves as the official record of the complaint, crucial for the proper processing of the case. *. Homestead Exemption: On January *, *, Ms. Merritt filed a Homestead exemption on her home, * Oak Street, Norton, MA (* Oak St.), with the Bristol County Registry of Deeds, providing her with $* million coverage under the Massachusetts Homestead Act (Mass. Gen. Laws ch. *, § * et seq.). Exhibit *.
Case Rating: *
Certainly! Here's the updated and polished version of your document:
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Motion to Contest Writ of Execution and Request for Emergency Stay
Now comes Defendant, Karen Merritt, respectfully submitting this Motion to Contest the Writ of Execution issued against her in the case related to Classic Display, Inc. (Case No: *:*-bk-*) by the U.S. Bankruptcy Court for the District of Rhode Island. She also requests an emergency stay to prevent the judgment from being registered. Additionally, she requests an extension of 7 days, until February *, *, to provide a detailed affidavit in support of her motion. The extension is necessary to accurately document and prepare all relevant information related to the coercion, trickery, and pressure she experienced.
In support of this motion, she presents the following:
*. Evidence and Civil Cover Sheet:
- Attached: Civil cover sheet establishing the complaint filed by * Fountain Street at Superior Court on January *, *. Exhibit *.
- Importance: This document serves as the official record of the complaint, crucial for the proper processing of the case.
*. Homestead Exemption:
- On January
*. Fraudulent Conveyance and Existing Lien: - * Oak St. was included in a fraudulent conveyance by James Tiernan on October *, *. The Southeast Housing Court ordered Ms. Merritt's eviction from * Brayton Woods, Rehoboth, MA, leading to her move to * Oak St. (Exhibit *: *-Hour Notice). This date marks her wrongful or illegal eviction due to the fraudulent conveyance of * Brayton Wds., which was transferred on May *, *. The second property, * Oak St., was included in the * Brayton Wds. transfer. (Exhibit *: Cover page of Silverman & Esposito showing Mr. Tiernan's intent to foreclose on * Oak St. and his security interest in establishing the lien).
Case Rating: *
Sure, here is the updated and polished version of your document including the new information:
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Motion to Contest Writ of Execution and Request for Emergency Stay
Now comes Defendant, Karen Merritt, respectfully submitting this Motion to Contest the Writ of Execution issued against her in the case related to Classic Display, Inc. (Case No: *:*-bk-*) by the U.S. Bankruptcy Court for the District of Rhode Island. She also requests an emergency stay to prevent the judgment from being registered. Additionally, she requests an extension of 7 days, until February *, *, to provide a detailed affidavit in support of her motion. The extension is necessary to accurately document and prepare all relevant information related to the coercion, trickery, and pressure she experienced.
In support of this motion, she presents the following:
*. Evidence and Civil Cover Sheet:
- Attached: Civil cover sheet establishing the complaint filed by * Fountain Street at Superior Court on January *, *. Exhibit *.
- Importance: This document serves as the official record of the complaint, crucial for the proper processing of the case.
*. Homestead Exemption:
now only from section * onward keeping without the borderline
Case Rating: *
*. Homestead Exemption:
- On January *, *, Ms. Merritt filed a Homestead exemption on her home, * Oak Street, Norton, MA (* Oak St.), with the Bristol County Registry of Deeds, providing her with $* million coverage under the Massachusetts Homestead Act (Mass. Gen. Laws ch. *, § * et seq.). Exhibit *.
*. Fraudulent Conveyance and Existing Lien:
- * Oak St. was included in a fraudulent conveyance by James Tiernan on October *, *. The Southeast Housing Court ordered Ms. Merritt's eviction from * Brayton Woods, Rehoboth, MA, leading to her move to * Oak St. (Exhibit *: *-Hour Notice). This date marks her wrongful or illegal eviction due to the fraudulent conveyance of * Brayton Wds., which was transferred on May *, *. The second property, * Oak St., was included in the * Brayton Wds. transfer. (Exhibit *: Cover page of Silverman & Esposito showing Mr.
now only from Exhibit * onward
Case Rating: *
Sure, here's the continuation from Exhibit * onward:
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Exhibit *: Cover page of Silverman & Esposito showing Mr. Tiernan's intent to foreclose on * Oak St. and his security interest in establishing the lien.
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*. Judicial Estoppel: - On October *, *, James Tiernan testified before the Honorable Richard Stearns at the U.S. District Court that the foreclosure/transfer recorded on May *, *, for * Brayton Wds, violated state foreclosure and usury laws. Exhibit * Transcript excerpt of James Tiernan from the bench trial on pages * (lines *-*), * (lines *-*), and * (lines *-*) provide evidence of James Tiernan's fraudulent intent. -- Massachusetts Usury Laws (Chapter *, Section *): - Interest rates exceeding *% are considered usurious and illegal. - Penalties can include forfeiture of interest and repayment of principal. - Massachusetts Foreclosure Laws:
Case Rating: *
*. Judicial Estoppel:
- On October *, *, James Tiernan testified before the Honorable Richard Stearns at the U.S. District Court that the foreclosure/transfer recorded on May *, *, for * Brayton Woods, violated state foreclosure and usury laws. Exhibit * includes a transcript excerpt of James Tiernan's testimony from the bench trial on pages * (lines *-*), * (lines *-*), and * (lines *-*), providing evidence of James Tiernan's fraudulent intent.

Massachusetts Usury Laws (Chapter *, Section *):
- Interest rates exceeding *% are considered usurious and illegal.
- Penalties can include the forfeiture of interest and repayment of principal.

Massachusetts Foreclosure Laws:
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- Chapter *, Sections 35B and 35C: Requires mortgagees to make a good faith effort to avoid foreclosure. - Chapter *, Section *: Notice requirements for foreclosure by sale. - This illegal foreclosure included * Oak St.; however, Mr. Tiernan only transferred * Brayton Wds. but holds a lien on * Oak St. *. Fraud on the Court (Rule *(b)(*)): - Mr. Tiernan, the assignee of * Fountain Street, obtained a default judgment against Ms. Merritt. He is omitting his status as a debtor in ongoing federal court proceedings, which constitutes fraud upon the court. (Exhibit *: Evidence of ongoing federal court proceedings;
Case Rating: *
Would you like to connect with local lawyers who can better assist you with your case? If you agree, I’ll need some information to proceed.
To ensure we can connect you effectively, could you please provide your phone number?
Also, could you briefly describe the main legal issue you are facing?
Exhibit *: * Fountain St. LLC’s Motion for Issuance of a Writ of Execution, section *). - Under Rule *(b)(*), the court may relieve a party from a final judgment for fraud, misrepresentation, or misconduct by an opposing party. Mr. Tiernan’s statement, "Pursuant to the Assignment of the Judgment, * Fountain is now the Judgment Creditor, and requests issuance of a Writ of Execution on the Judgment," fails to disclose his status as a debtor in a pending lawsuit against the defendant, Karen Merritt. This omission is significant as it shall affect the credibility and fairness of the proceedings, given the conflicting interests involved.
Case Rating: *
Your case involves multiple allegations of fraud, misrepresentation, and misconduct, which are significant issues in legal proceedings. It seems you have a strong basis for challenging the writ of execution and default judgment. Here’s the updated document incorporating all the information:
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Motion to Contest Writ of Execution and Request for Emergency Stay
Now comes Defendant, Karen Merritt, respectfully submitting this Motion to Contest the Writ of Execution issued against her in the case related to Classic Display, Inc. (Case No: *:*-bk-*) by the U.S. Bankruptcy Court for the District of Rhode Island. She also requests an emergency stay to prevent the judgment from being registered. Additionally, she requests an extension of 7 days, until February *, *, to provide a detailed affidavit in support of her motion. The extension is necessary to accurately document and prepare all relevant information related to the coercion, trickery, and pressure she experienced.
In support of this motion, she presents the following:
*. Evidence and Civil Cover Sheet:
- Attached: Civil cover sheet establishing the complaint filed by * Fountain Street at Superior Court on January *, *. Exhibit *.
could you include *. Service of Process: - Ensure you were personally served as required by law. - Only serving the other party may not meet the legal requirements. *. Representation Assumption: - Believing that your financial advisor and husband were handling the case may not be sufficient, but it can be argued as a reason for your non-appearance. *. Alleged Theft: - Present evidence that the money you received was court-ordered from your divorce decree. Exhibit XX divorce decree showing child support payments.
Case Rating: *
Certainly! Here’s the updated version of your document incorporating the additional points:
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Motion to Contest Writ of Execution and Request for Emergency Stay
Now comes Defendant, Karen Merritt, respectfully submitting this Motion to Contest the Writ of Execution issued against her in the case related to Classic Display, Inc. (Case No: *:*-bk-*) by the U.S. Bankruptcy Court for the District of Rhode Island. She also requests an emergency stay to prevent the judgment from being registered. Additionally, she requests an extension of 7 days, until February *, *, to provide a detailed affidavit in support of her motion. The extension is necessary to accurately document and prepare all relevant information related to the coercion, trickery, and pressure she experienced.
In support of this motion, she presents the following:
*. Service of Process:
- Ensure you were personally served as required by law.
- Only serving the other party may not meet the legal requirements.
*. Representation Assumption:
- Believing that your financial advisor and husband were handling the case may not be sufficient, but it can be argued as a reason for your non-appearance.
*.
now only send from section * onward
Case Rating: *
Sure, here’s the continuation from section * onward:
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*. Alleged Theft:
- Present evidence that the money you received was court-ordered from your divorce decree. Exhibit XX: Divorce decree showing child support payments.
*. Homestead Exemption:
- On January *, *, Ms. Merritt filed a Homestead exemption on her home, * Oak Street, Norton, MA (* Oak St.), with the Bristol County Registry of Deeds, providing her with $* million coverage under the Massachusetts Homestead Act (Mass. Gen. Laws ch. *, § * et seq.). Exhibit *.
*. Fraudulent Conveyance and Existing Lien:
- * Oak St. was included in a fraudulent conveyance by James Tiernan on October *, *. The Southeast Housing Court ordered Ms. Merritt's eviction from * Brayton Woods, Rehoboth, MA, leading to her move to * Oak St. (Exhibit *: *-Hour Notice). This date marks her wrongful or illegal eviction due to the fraudulent conveyance of * Brayton Wds., which
can you revise to clearly write in the first person, Ms Merritt *. Service of Process: - Ensure you were personally served as required by law. - Only serving the other party may not meet the legal requirements. *. Representation Assumption: - Believing that your financial advisor and husband were handling the case may not be sufficient, but it can be argued as a reason for your non-appearance. *. Alleged Theft: - Present evidence that the money you received was court-ordered from your divorce decree. Exhibit XX: Divorce decree showing child support payments.
Case Rating: *
Sure, here's your revised version written in the first person:
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*. Service of Process:
- I need to ensure that I was personally served as required by law.
- Serving only the other party may not meet the legal requirements.
*. Representation Assumption:
- I believed that my financial advisor and husband were handling the case, which may not be sufficient, but it can be argued as a reason for my non-appearance.
*. Alleged Theft:
- I will present evidence that the money I received was court-ordered from my divorce decree. Exhibit XX: Divorce decree showing child support payments.
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Would you like to add or adjust anything else?
where do I place *. Evidence and Civil Cover Sheet: - Attached: Civil cover sheet establishing the complaint filed by * Fountain Street at Superior Court on January *, *. Exhibit *. - Importance: This document serves as the official record of the complaint, crucial for the proper processing of the case.
Case Rating: *
You should place the "Evidence and Civil Cover Sheet" in the section of your motion where you present the supporting evidence for your claims. This is generally after the introduction and background information but before the conclusion and relief requested sections. Here's an updated version of your document with the placement:
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Motion to Contest Writ of Execution and Request for Emergency Stay
Now comes Defendant, Karen Merritt, respectfully submitting this Motion to Contest the Writ of Execution issued against her in the case related to Classic Display, Inc. (Case No: *:*-bk-*) by the U.S. Bankruptcy Court for the District of Rhode Island. She also requests an emergency stay to prevent the judgment from being registered. Additionally, she requests an extension of 7 days, until February *, *, to provide a detailed affidavit in support of her motion. The extension is necessary to accurately document and prepare all relevant information related to the coercion, trickery, and pressure she experienced.
In support of this motion, she presents the following:
*. Evidence and Civil Cover Sheet:
- Attached: Civil cover sheet establishing the complaint filed by * Fountain Street at Superior Court on January *, *
now only from section * onward
Case Rating: *
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*. Evidence and Civil Cover Sheet:
- Attached: Civil cover sheet establishing the complaint filed by * Fountain Street at Superior Court on January *, *. Exhibit *.
- Importance: This document serves as the official record of the complaint, crucial for the proper processing of the case.
*. Service of Process:
- I need to ensure that I was personally served as required by law.
- Serving only the other party may not meet the legal requirements.
*. Representation Assumption:
- I believed that my financial advisor and husband were handling the case, which may not be sufficient, but it can be argued as a reason for my non-appearance.
*. Alleged Theft:
- I will present evidence that the money I received was court-ordered from my divorce decree. Exhibit XX: Divorce decree showing child support payments.
*. Homestead Exemption:
- On January *, *, I filed a Homestead exemption on my home, * Oak Street, Norton, MA (* Oak St.), with the Bristol County Registry of Deeds, providing me with $* million coverage under the Massachusetts
in my evidence section i listed divorce Decree Exhibit *: Divorce Decree Establishing that Mr. Grieco committed contempt of Court by not honorimg my divorce decree Exhibit ! establishing that the court order Mr. cronan to pay child support payments.
Case Rating: *
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Got it! Sounds like you have already included the divorce decree in your evidence section. Here's a polished version of your motion, incorporating all the points clearly:
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Motion to Contest Writ of Execution and Request for Emergency Stay
Now comes Defendant, Karen Merritt, respectfully submitting this Motion to Contest the Writ of Execution issued against her in the case related to Classic Display, Inc. (Case No: *:*-bk-*) by the U.S. Bankruptcy Court for the District of Rhode Island. She also requests an emergency stay to prevent the judgment from being registered. Additionally, she requests an extension of 7 days, until February *, *, to provide a detailed affidavit in support of her motion. The extension is necessary to accurately document and prepare all relevant information related to the coercion, trickery, and pressure she experienced.
In support of this motion, she presents the following:
*. Evidence and Civil Cover Sheet:
- Attached: Civil cover sheet establishing the complaint filed by * Fountain Street at Superior Court on January *, *. Exhibit *.
- Importance: This document serves as the official record of the complaint, crucial for the
please just send me the divorce decree section
Case Rating: *
Certainly! Here is the polished version of the divorce decree section:
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Divorce Decree:
Exhibit *: Divorce Decree:
- Establishing Contempt: This exhibit demonstrates that Mr. Grieco committed contempt of court by not honoring the divorce decree.
- Child Support Payments: The court ordered Mr. Cronan to pay child support payments as part of the divorce settlement, which refutes the allegations of theft.
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Would you like to add or adjust anything else?
please show me how to write it here-*. Alleged Theft: - She will present evidence that the money she received was court-ordered from her divorce decree. Exhibit XX: Divorce decree showing child support payments.
Case Rating: *
Certainly! Here's how you can write it:
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*. Alleged Theft:
- She will present evidence that the money she received was court-ordered from her divorce decree. Exhibit *: Divorce Decree showing child support payments.
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Would you like to add or adjust anything else?
- She will present evidence that the money she received was court-ordered from her divorce decree. - Child Support Payments: The court ordered Mr. Cronan to pay child support payments as part of the divorce settlement, which refutes the allegations of theft. Exhibit *: Cover page and page * section Child Support.
Case Rating: *
*. Alleged Theft:
- She will present evidence that the money she received was court-ordered from her divorce decree.
- Child Support Payments: The court ordered Mr. Cronan to pay child support payments as part of the divorce settlement, which refutes the allegations of theft. Exhibit *: Cover page and page * section Child Support.
Is there anything else you need assistance with?
after the last exhited in the evidence section do I just have this:Respectfully submitted, /s/ Karen Merritt Karen Merritt * Oak Street Norton, MA * karen.hgm@aol.com
Case Rating: *
Yes, after the last exhibit in the evidence section, you can end your document with the following:
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Respectfully submitted,
/s/ Karen Merritt
Karen Merritt
* Oak Street
Norton, MA *
karen.hgm@aol.com
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Is there anything else you need help with?
- She believed that her financial advisor, Mr. Grieco and former husband, James Cronan, were handling the case, which may not be sufficient, but it can be argued as a reason for her non-appearance.
Case Rating: *
Certainly! Here’s a polished version of your text:
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- She believed that her financial advisor, Mr. Grieco, and her former husband, James Cronan, were handling the case, which may not be sufficient but can be argued as a reason for her non-appearance.
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Is there anything else you need help with?
- She believed that her financial advisor, Mr. Grieco, and her former husband, James Cronan, were handling the case, which may not be sufficient, but it can be argued as a reason for her non-appearance. I was unaware that I had been ordered to attend a hearing.
Case Rating: *
Certainly! Here’s a polished version of your text:
---
- She believed that her financial advisor, Mr. Grieco, and her former husband, James Cronan, were handling the case, which may not be sufficient but can be argued as a reason for her non-appearance. I was unaware that I had been ordered to attend a hearing.
---
Is there anything else you need help with?
I am removing my case from superior court Ma to U.S. district Court R.i. . I understand that I have 30 days to do so. If this is true does the 30 day begin when I got the summons or the day the case was filed?
Case Rating: *
In your situation, the *-day period typically begins when you are served with the summons, not the day the case was filed. Here are some points to keep in mind:
- The *-day period starts from the date you receive the summons.
- Ensure you have proper documentation of the date you received the summons.
- It's advisable to file the removal notice as soon as possible to avoid any issues.
Is there anything else you need assistance with regarding this process?
i have not recived an ansere to my reguest for an extension under ADA and my resonse is due today should I call the clerk. How do i frame the question?
Case Rating: *
Yes, it's a good idea to call the clerk to follow up on your extension request. You can frame your question like this:
"Hello, my name is Karen Merritt. I submitted a request for an extension under the ADA for my case, but I haven't received a response yet. My response is due today, and I wanted to check on the status of my request. Could you please provide me with an update or any guidance on how to proceed?"
Would you like any additional help with this?
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