OBJECTION
FOR SUBPOENA FOR PRODUCTION OF DOCUMENTS AND THINGS
THE STATE OF FLORIDA
To: C.H. Robinson Worldwide, Inc. 14701 Charlson Road, Eden prairie, MN 55347 Respondent, Ted
Jeczalik
files this Objection for Subpoena for Production of Documents and
Things and
states as follows:
Respondent has filed Financial Affidavit and Income Tax statement in this cause on February 21, 2012 to the Judge Patricia A. Muscarella and the Mandatory Disclosure was sent under certified mail no. 7011 1570 0001 1589 4798 The Petitioner, Anna Michalik and her lawyer Audrey A. Jefferis, again submitted falls information to the Court as the Respondent has not filed financial affidavit in this cause. Another falls information was submitted to the Court by The Petitioner, Anna Michalik and her lawyer Audrey A. Jefferis, that compliance has long - since elapsed. This Subpoena for Production of Documents and Things would further bring more falls and inaccurate information. Accurate information has been filed in the Court by Respondent in this cause. 2. The Petitioner Anna Michalik and her lawyer Audrey A. Jefferis, again submitted falls information to the Court as Anna Michalik does not receive child support. On November 8, 2011, hearing officer Barbara Gorain and Sofia Bilokryla, Assistant Attorney General, Child Support Enforcement Section, verified copies of all child support payments being made on regular, monthly basis by Ted Jeczalik. This Subpoena for Production of Documents and Things would further bring more falls and inaccurate information when accurate information has been filed in the Court by Respondent in this cause. 3. The Petitioner, Anna Michalik and her lawyer Audrey A. Jefferis, again submitted falls information to the Court as Mandatory Disclosure as all paperwork in this cause was sent on February 21, 2012 to the Judge Patricia A. Muscarella under certified mail no. 7011 1570 0001 1589 4798. Another falls information was submitted to the Court by The Petitioner, Anna Michalik and her lawyer Audrey A. Jefferis, that compliance has long - since elapsed. This Subpoena for Production of Documents and Things would further bring more falls and inaccurate information when accurate information has been filed in the Court by Respondent in this cause. 4. The Petitioner, Anna Michalik and her lawyer Audrey A. Jefferis, again submitted falls information to the Court as the Respondent has signed in May 2011 stipulation and the Respondent, Anna Michalik has violated terms of the stipulation and before the Stipulation became court order, the Stipulation was canceled by Respondent: Anna Michalik Reconciliation Contract, Agreement, Court Stipulation was Cancellation dated 7-7-2012 and submitted to Petitioner. MOTION TO/FOR FRAUD AND
RECONCILIATION AGREEMENT CANCELLATION dated 11-7-2011,
Another falls information about the Respondent was submitted
to the Court by Petitioner, Anna Michalik and
her lawyer Audrey A. Jefferis, that no objections have been
made.MOTION TO/FOR CANCELLATION AND INVALIDITY OF STIPULATION ON TEMPORARY RELIEF AND OTHER MATTERS dated 1-30-2012 MOTION TO/FOR CANCELLATION AND INVALIDITY OF STIPULATION ON TEMPORARY RELIEF AND OTHER MATTERS dated 3-21-201 Above documents were submitted to the Honorable Court and to the Petitioner. This Subpoena for Production of Documents and Things would further bring more falls and inaccurate information when accurate information has been filed in the Court by Respondent in this cause. 5. Respondent has made all objections and never waived such. 6. Respondent has incurred substantial amount of income trying to defend himself from falls accusations and information submitted to the Court by Petitioner, Anna Michalik and her lawyer Audrey A. Jefferis. This Subpoena for Production of Documents and Things would further bring more falls and inaccurate information when accurate information has been filed in the Court by Respondent in this cause and it would further cause respondent lost of income for the Child Support he makes every month. Wherefore, Respondent respectfully requests that this honorable Court: A. Stop the Petitioner, Anna Michalik and her lawyer Audrey A. Jefferis, from this Subpoena for Production of Documents and Things as it would further bring more falls and inaccurate information when accurate information has been filed in the Court by Respondent. B. Stop the Petitioner Anna Michalik and her lawyer Audrey A. Jefferis, from filing other Subpoenas as all information submitted by Respondent is more true and accurate then non-party information being subpoena. CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a copy hereof has been furnished by mail delivery to the persons listed below this 23 day of April, 2012. Audrey A. Jefferis, Esquire
8138 Massachusetts Ave., New Port Richey, FL 34653 Tel. 727-845-6174, fax 727-848-3091 FBN: 060526 Attorney for
Petitioner
Ted Jeczalik,
Respondent /
Husband
P.O. Box 248,
Port
Richey, FL 34673
Telephone No. 727-641-6709,
Fax
866-395-0966, Email:
[email protected]
|