Marcy Lerch, Et-Al v. Wilmington Trust NA Successor Trustee for the Merrill Lynch Mortgage Investor Trust Series 2006-HE5 ( 2015 )


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  •                             ACCEPTED
    01-15-00505-CV
    FIRST COURT OF APPEALS
    HOUSTON, TEXAS
    6/23/2015 6:28:32 AM
    CHRISTOPHER PRINE
    CLERK
    FILED IN
    1st COURT OF APPEALS
    HOUSTON, TEXAS
    6/23/2015 6:28:32 AM
    CHRISTOPHER A. PRINE
    Clerk
    an Order of Foreclosure as required under Tex. R. Civ. P. 7
    2. On or about March 21th, 2015 the lower court granted the       ppellee a writ
    of Possession to evict the Appellant.
    3. On or about April 30th, 2015 the Appellant immediately file a motion of
    reconsideration and a stay of writ and Pauper's Affidavit in ieu of
    supersedes Bond. The Appellee's never challenged the cont st of the
    Affidavit.
    4. On or about May 21st, 2015 the Court denied Appellant's m tion to stay
    the enforcement of writ of possession.
    PROCEDURAL HISTORY IN THIS CO
    5. On June 2, 2015, appellant, Marcy Lerch, filed a notice of a peal in the
    trial court from the final judgment, signed on April 21, 20 1 , and the order
    denying her motion to stay enforcement of the writ of posse sion and
    reconsideration of the April 21st order, signed on May 21, 2015.
    6. On June 8, 2015, appellant filed an application for temporary restraining
    order, temporary injunction and permanent injunction, requesting a stay of
    the execution of the writ of possession to preserve the status quo, among
    other reasons, pending resolution of her appeal.
    7. On June 11 tt, 2015 the Court denied the Appellant's application requesting
    a stay of execution of the writ of possession based only on the documents
    2
    filed in this Court, with the appellant's notice of appeal and tnotion,
    I
    '
    '
    because there was no indication what the supersedeas bond ~ount was as
    set by the trial court or that appellant posted that bond amouht within ten
    days of the signing of the April 21, 20 15 final judgment.
    REQUEST FOR
    RECONSIDERATION OF TIDS COURT'S ORDER 0                             JUNE 11TH,
    2015
    8. The appellants humbly requests this Court to reconsider its
    because in the haste of trying to prevent the Appellee's fro        evicting her
    she hastily filed the motion of June 08th, 2015 and in so do"
    attach the final judgment stating the amount of supersedeas ond that was
    set by the trial court and/or the appellant's Affidavit in lieu ~fthe
    supersedeas bond which she posted within ten days of the signing ofthe
    April 21, 2015 final judgment by the trial Court. These documents are
    hereby attached as an Appendix to this motion.
    ARGUMENT
    9. This Court has jurisdiction to issue writs only as necessary to enforce and
    protect our jurisdiction. See TEX. GOV'T CODE ANN. § 22.221(a) (West
    Supp. 2014) and may not, however, issue an injunction on wholly
    equitable grounds or to preserve the status quo or to protect a party from
    3
    damage pending appeal. See Parsons v. Galveston County Emp. Credit
    Union, 
    576 S.W.2d 99
    , 99 (Tex. Civ. App.-Houston [1st Dist.] 1978, no
    writ).
    lO.Some appellate courts including this have suggested that a pfUiY seeldng a
    stay during the pendency of an appeal must show that it wo ld be entitled
    to a issuance of an injunction to protect appellate jurisdictio under
    Section 22.221 of the Texas Government Code. See, e.g., F, leon v.
    Bonanza Capital, Ltd.. No. 03-12-00132-CV, 
    2012 WL 16
    5809
    Muscletech, Inc., 
    74 S.W.3d 429
    , 431 (Tex.App.-Amarillo 002, no pet.);
    Lamar Builders, Inc. v. Guardian Sav. & Loan Ass'n, 786 S.        .2d 789,
    791 (Tex.App.-Houston [1st Dist.] 1990, no writ). This Co
    however, that the requirements for a stay to protect the Cotujt's jurisdiction
    '
    are not as stringent as the requirements of the Section 22.22l of the Texas
    Government Code. "A stay is not a writ of prohibition: a sta~ is intended
    to be only temporary, and the requisite showing for a stay is less formal
    than the requisite showing for a writ of prohibition." J.K. & Susie L.
    Wadley Research Jnst. & Blood Bank v. Whittington, 
    843 S.W.2d 77
    , 83
    (Tex.App.-Dallas 1992, no writ).1 Particularly in cases such as this one,
    where the actions of the trial court during the pendency of the appeal
    4
    endanger this Court's jurisdiction over the appeal, just as un er Rule 29.3,
    the question on a motion for stay is not whether the trial co    acted within
    its discretion in issuing the order in question, but rather whe er a stay is
    needed to preserve the rights of the parties pending appeal. ee, e.g.,
    Tex.R.App. P. 29.3; see In re Lasik Plus o{Texas, P.A., 14- 3--00036-
    CV, 
    2013 WL 816674
    , at *4 (Tex. App.-Houston [14th Dist] Mar. 5,
    2013, orig. proceeding) (''We cannot conclude that tempor        orders are
    necessary to preserve appellants' rights until disposition oft eir
    interlocutory appeal.") (mem. op.). See also, Oryon Techno/ gies, Inc. v.
    Marcus, 
    429 S.W.3d 762
    , 766-7 (Tex. App .. -Dallas 2014) ( .. .in cases
    such as this one, where the actions of the trial court during t e pendency
    of the appeal endanger this Court's jurisdiction over the app al, just as
    under Rule 29.3, the question on a motion for stay is not wh ther the trial
    court acted within its discretion in issuing the order in question, but rather
    whether a stay is needed to preserve the rights of the parties pending
    appeal.")
    11.An Appellate Court may not stay the judgment of a county court in an
    eviction suit pending appeal unless, within ten days of the signing of the
    judgment, the appellant files a supersedeas bond in an amount set by the
    county court. See TEX. PROP. CODE ANN. § 24.007(a) (West Supp.
    5
    2014); Phillips v. Branch Banking & Trust Co., No. 03-11-0 461-CV,
    
    2012 WL 424875
    , at *1 (Tex. App.-Austin, Feb. 1, 2012, rder).
    12.1n Texas, the amount of a supersedeas bond (referred to as" ecurity for
    judgments pending appeal" in the Texas Civil Practice and emedies
    Code) is determined as follows:
    a. Under subsection (a), the amount of the bond must eq all) the
    amount of compensatory damages awarded in the jud            ent, 2)
    interest for the estimated duration of the appeal, and 3
    awarded in the judgment.
    b. Under subsection (b), notwithstanding the requiremen s of
    subsection (a), the security cannot equal the lesser of ) 50 percent
    of the judgment debtor's net worth or 2) USD$25 million.
    c. Under subsection (c), if the judgment debtor shows that the amount
    of the security would cause "substantial economic harm", the trial
    court is required to lower it to an amount that would not cause such
    harm.
    d. Subsection (d) allows an appellate court to review and modify the
    amount of security, but not to exceed the limitations above.
    e. Subsection (e) permits a trial court to enter orders preventing
    · dissipation or transfer of assets to avoid satisfaction of the
    6
    judgment, but not so as to prohibit use, transfer, conv~yance, or
    dissipation of assets in the normal course of business.
    13. In this case the County Court without rational or any bases
    Appeal/supersedeas bond in an amount $12,680.10 especial         since this
    case was an eviction case pursuant to a foreclosure with no      arket value
    of the property stated. Nonetheless, in a case of eviction sue as this the
    cash bond may be waived if the tenant and/or Appellant file
    stating that he or she cannot afford it. The content of the "p
    or "pauper's affidavit" is prescribed by statute (Tex. Prop.     de
    §24.0052).
    14.0nce a pauper's affidavit is filed, the landlord/Appellee has he right to
    request a hearing and contest the affidavit, alleging that the enant does in
    fact have sufficient resources for the bond. The proponent o the affidavit
    can be questioned on the subject of his or her assets and income. (Tex. R.
    Civ. P. 510.9(c)).
    15.0n or about Apiil21 st, 2015 the County issued its final Order setting an
    Appeal/supersedeas bond in the amount of$12,680.10. Exhibit A. And
    on or about April 30th, 2015, the Appellant filed a Pauper Affidavit in Lieu
    of Appeal/supersedeas bond. See attached Exhibit B. The Appellee
    waived its right to seek a cash bond because he did not request a hearing
    7
    seeking a ruling contesting the sufficiency of the Affidavit i Lieu of
    supersedeas bond. See Exhibit C_Electronic Docket sheet fo Case number
    15-CCV-054652.(showing that the Appellee did not seek a earing to
    contest the sufficiency of the Pauper's affidavit)
    16.1n this case the Appellee waived its right to seek the Appell t to post the
    required bond in cash by failing to request a hearing and co test the
    Appellant's ability to post the Appeal/ supersedeas bond set by the Trial
    Court in cash etc. In the absence of such ruling the Appelle
    right to challenge the sufficiency of the Appellant' s Pauper ffidavit in
    Lieu of Appeal or supersedeas bond. As Such Appellant's P uper
    Affidavit in Lieu of Appeal or supersedeas bond was suffici nt security
    for judgments pending appeal. See Tex. R. Civ. P. 510.9(c)) See also,
    TEX. CIV. PRAC. & REM. CODE§ 52.006(c)
    17.Further, the Appellant assert that the trial court erred in requiring her to
    pay $12,680.10 in cash bond because by her pauper Affidavit in Lieu of
    cash bond, she showed that the amount of the security would cause her
    substantial economic harm yet the trial court failed to lower it to an
    amount that would not cause such harm. Section 52.006 also provides that
    if the judgment debtor shows that the amount of the security would cause
    11
    Substantial economic harm", the trial court is REQUIRED to lower it to
    8
    an amount that would not cause such harm. TEX. CIV. PRAjC. & REM.
    CODE § 52.006(c). Under the plain language of the statute, the trial
    '
    should have lowered the amount of cash bond if any substanjtially from the
    $12,680.10 the trial Court Ordered.
    18. Clearly the actions of the trial court during the pendency o the appeal
    endanger this Court's jurisdiction over the appeal. The quest on on a
    motion for stay is not whether the trial court acted within its discretion in
    issuing the orders in question, but rather whether a stay is n eded to
    preserve the rights of the parties pending appeal. Oryon Tee nologies, Inc.
    v. Marcus, 
    429 S.W.3d 762
    , 766-7 (Tex. App .. -Dallas 2014 o. writ)
    CONCLUSION
    19.For the forgoing reasons, the trial court's Order and writ of ossesswn
    should be stayed pending resolution of the appeal.
    PRAYER
    WHEREFORE, PREl\1ISES CONSIDERED, Appellant herein,
    respectfully prays that the trial court's Order and the writ of possession on behalf
    of the appellee be stayed pending resolution of the appeal.
    Respectfully submitted,
    By IS/ Diogu Kalu Diogu IL LL.M
    Diogu Kalu Diogu II, LL.M
    Texas Bar No. 24000340
    9
    Respectfully submitted,
    By:IS/ Dio u Kalu Dio 11 LL.M
    Diogu Kalu Diogu II, LL M.
    State Bar No. 24000340
    P. 0. Box 994
    Fulshear, Texas 77441
    Tel: (713) 791 3225
    Fax: (832) 408-7611
    dio u.dio u.law.firm    ail.com
    11
    Email: diogu.diogu.law.firrti@gmail.com
    P. 0. Box 994,             '
    Fulshear, Texas 77441
    Tel. (713) 791 3225
    Fax. (832) 408-7611
    CERTIFICATE OF CONFERENCE
    As required by Texas Rule Of Appellate Procedure lO.l(A)( ), I Certify that
    any attempt to confer with the attorneys for Wilmington Trust NA uccessor
    Trustee for the Merrill Lynch Mortgage Investor Trust Series 2006 HE5 Appellee
    about the merit of this motion will be futile because their attorneys ave conducted
    themselves unprofessionally and hostile to the Appellant since the · ception of this
    case.
    Respectfully Submitted,
    By:/S/ Dio KaluDio 11 LL.M
    Diogu Kalu Diogu II, LL M.
    State Bar No. 24000340
    P. 0 . Box 994
    Fulshear, Texas 77441
    Tel: (713) 791 3225
    Fax: (832) 408-7611
    diogu.diogu.law .firm@gmail.com
    Attorney for Appellant
    CERTIFICATE OF SERVICE
    I certify that a true copy of the Application for Requesting a Stay was served
    on each attorney of record or party in accordance with the Texas Rules of
    Appellate Procedure on June 22"d 2015 by fax
    10
    EXHIBIT ''A''
    FINAL JUDGMENT
    CAUSE NO.lS-CCV-054652
    WILMINGTON TRUST, N.A.,                         §     IN THE COUNTY COURT
    SUCCESSOR TRUSTEE TO                            §
    CITIBANK, N.A., AS TRUSTEE FOR                  §
    THE MERRILL LYNCH                               §
    MORTGAGE INVESTORS TRUST,                       §
    SERIES 2006-HES                                 §
    §
    v.                                              §     ATLAWNUMBERO E(l)
    §
    MARCY A. LERCH                                  §
    and/or All Occupants of                         §
    939 Darst Road                                  §
    Beasley, Texas 77417                            §     FORT BEND COUNT , TEXAS
    FINAL JUDGMENT                                I
    On the 21 sl day of April, 2015 , came on to be heard the above-entitled   an~ -numbered cause
    wherein WILMINGTON TRUST, N .A. , SUCCESSOR TRUSTEE TO                       CIT~ANK, N.A., AS
    TRUSTEE FOR THE MERRILL LYNCH MORTGAGE INVESTORS TRU~T, SERIES 2006-
    1
    HE5, is the Plaintiff, and MARCY A. LERCH and/or All Occupants of939 Dlf!st Road, Beasley,
    Fort Bend County, Texas 77 41 7, are the Defendants.
    The Plaintiffs appeared by their local counsel, William D. Kee, III, Attorney at Law, and
    announced ready for trial.
    Tile Defendant, failed m appear; 0 R
    V     The Defendant appeared in person and announced ready for trial; OR
    The Qefendaot appeared in person and thrmrgb attemey,                                   ana
    !nmounced ready for tnal.
    The Court finds that notice of trial setting was served on Defendant in accordance with
    Rule 2 la.
    Citation was served according to law and returned to the clerk where it remained on file for
    the time required by law. The Court, having read the pleadings and the papers on lfile, and having
    heard the evidence presented, is of the opinion that the allegations of the Plaintiff!;' petition are true
    and that Plaintiff is entitled to a judgment for possession.
    IT IS THEREFORE, ORDERED, ADJUDGED, AND DECREED that WILMINGTON
    '
    ;
    TRUST. N.A .• SUCCESSOR TRUSTEE TO CITIBANK, N.A., AS TRUSTEE
    !
    FOR THE
    MERRILL LYNCH MORTGAGE INVESTORS TRUST, SERJES 2006~HE5, PI intiff, is awarded
    judgment against Defendants, MARCY A. LERCH, and/or All Occupants, for ossession of the
    property located at 939 Darst Road, Beasley, Fort Bend County, Texas 77417,                     d that a Writ of
    Possession issue to the proper officer commanding him to seize possession of aid premises and
    deliver same to Plaintiff after said Writ of Possession has been duly filed by Plai tiff if Defendants
    have not vacated the herein described premises by ~0_1..!-:...t._.Jv~'<----\_____,
    IT IS FURTHER ORDERED that the supersedeas bond is hereby set i the amount of
    \ '_l..J.•...;li~.. f_,,_
    $_......                  ··_~1:.._0_'_ _ _ and shall be in the fonn of cash, cashier's check r corporate surety
    licensed by and authorized to do business in the State of Texas for such purpos
    All costs of court are hereby taxed against the party by whom incurred,                 r all of which let
    execution issue.
    Plaintiff is allowed such writs and processes as may be necessary in th enforcement and
    collection of this judgment.
    All relief not expressly granted herein is denied.
    Signed this    ~I        day of _ ___;_flr.!!=..;..,.L..{_ __ , 2015.
    HONORABLEJ7ESIDING JUDGE
    FlLED FOR R~COZ@
    NO-TtME         ·
    o~~ttr                        APR 21 2U15 jf\
    ILLIAM D. KEE Ill
    ATTORNEY AT LAW                          ~~
    county Clerk fort eend Co. TeXIS
    TBA #24007470
    19855 SOUTHWEST FREEWAY, SUITE 330
    SUGAR LAND, TX 77479
    TEL: (281) 313-5300
    FAX: (281) 313-5305
    Local Counsel for Plaintiff
    STAlE QF TEXAS
    COUNTY OF FO::IT BEND
    I, Laura Richard, County Clerk ot Fort Band County,Texu,
    do hereby certify that thll foregoing Ia a true and correct copy
    as tho 1amll appear$ on llle and recorded In tht> appropriate tecordl.
    Note: A portion     t~I.,~:\}W&onaltduntlfylng
    numbtr may bavo been
    ''§.~' al~ow_e~cy law. JoltSli£ IJA-                                Date
    If(_j*"t~).~                         ~- - --;) •
    ·~I                                  ~~
    I   -   -•
    ~~- -~f)                            Laura Richard, county Clerk
    .....,.:_r,;.~                    Fort Bend County, Te11as
    CAUSE N0.1S-CCV·054652
    "'1LMINGTON TRUST NA SUCCESSOR    §                        IN THE CO lNTY COU T
    TRUSTEE TO CITIBANK NA AS TRUSTEE §
    FOR THE MERRILL LYNCH MORTGAGE §
    INVESTORS TRUST, SERIES 2006-HES  §                        ATLAWNo.l
    §
    §
    Vs                                §
    MARCY LERCH and                  §                        IN At'\'D FOR
    ALL OCCUPA!~TS OF                 §
    939Darst Rd                       §
    Beasley, Texas 77417              §                         FORT BEND COUNTY TEXAS
    ORDER DENYING DEFENDANT'S MOTION TO TAY AND RECONS
    COMES NOW ON TO BE HEARD Defendant's Motion to Stay and Re
    considering the pleadings on file together with the argument of counsel, this court if of the opinion chat
    Defendant is not entitled to the relief sought. IT IS ACCORDINGLY ORDERED that
    to Stay and Reconsideration is HEREBY DENIED.
    SIGNED   this~ I     day of   J{lJ ,2015.
    SUB:\-UTTED FOR ENTRY:
    JACK O'BOYLE & ASSOCIATES
    FILED FOR RECO~
    N O - TIME ~Mf:
    Is! Travis H. Gray
    Travis H. Gray
    MAY 21 2015 .
    ~~
    SBN 24044965
    travis@jackoboyle.com                                         County Clerk Fort 6end CO. Texas
    P.O. Box 815369
    Dallas, Texas 75381
    P: 972.247.0653
    F: 972.247.0642
    ATTORNEYS FOR PLAlNTIFF
    EXHIBIT ''B''
    PAUPER AFFIDAVIT IN Ll U OF
    SUPERSEDEAS BON
    Electronically Filed
    4/3012015 7:08:52 PM
    Laura Richard
    County Clerk
    Fort Bend County, Texas
    CASE NUMBER: 15-CCV-054652
    WILMINGTON TRUST NA SUCCESSOR        §                   IN THE COUNTY COURT
    TRUSTEE FOR THE MERRILL LYNCH        §
    MORTGAGE INVESTOR TRUST SERIES 2006- §
    HES, PLAINTIFF                       §
    §
    §
    v.                                                §      AL LAW NUMBER ONE ( )
    §
    MARCY LERCH, ET-AL, DEFENDANTS                    §      FORT BEND COUNTY, TE        S
    PAUPER AFFIDAVIT IN LIEU OF SUPERSEDEAS BONO
    BEFORE ME, the undersigned authority, on this day personally appea ed MARCY LERCH,
    Defendant, who, being by me duly sworn, on oath stated as follows:
    "My name is MARCY LERCH. I am the Plaintiff in the above-referen             d cause.
    "My monthly income consists of $1,304.00 per month.
    "I am employed at Dillard's.
    "I receive child support arrears in the amount of $434.00 per month.
    "I have no other income.
    "I own no stocks or bonds.
    "I currently have$ 22.00 in cash.
    "I have $27.00 in checking or savings accounts.
    "I have one dependent.
    11
    1 have approximately $675.00 in monthly expenses.
    "I have no money to pay for attorney fees, and I believe that I have a meritorious claim.
    "I am unable to pay the bone! amountS 12,000 and or the court costs.
    •• 1 verify that   the statements made in this affidavit are true and correct."
    Affiant
    Notary Public, State o
    3
    STATE OF TEXAS
    COUNTY OF FORT BEND                   i
    I, Laura Richard, County Clerk o Fort Bend County,Texas,
    do hereby certify that the foregoin Is a true and correct copy
    as the same appears on flle and recor ed In the app10prlate recordS.
    ~ole: A portion o1 a personal identifying number may have b~en
    ,   redacted as allowed by law.            f:
    - t8"~ )of~
    Date
    I
    ,{kiA-'"    ~~
    Laura Richard, County Clerk
    Fort Bend County, Texas
    EXHIBIT ''C''
    FORT BEND COUNTY COURT NUMB R ONE
    ELECTRONIC DOCKET SHEET
    ...   ~.-
    Skip to Main Content !,Q!IQ\!1 My Accoynt Seardl Menu New Civil Sean:h Refllle Search Back                                     Location : Fort Bend         Images~
    REGISTER OF AcnoNs
    C ..SE No. 15-CCY-054652
    Wilmington Trust NA Successor Trustee for the Merrill Lynch Mortgage Investor Trust §                         Case Type: C ther Civil
    Series 2006-HES, Plaintiff V Marcy Lerch Et-AL Defendants                           §                         Date Filed: 0~1312016
    §                  Location: County Court at Law 1
    §
    §
    PARTY 1NFORMAnON
    Attorneys
    Defendant or        Lerch, Marcy                                                                                               Oiogu K.alu Dl ogu IJ, LLM
    Respondent                                                                                                                      Retained
    Beasley, TX 77417
    71 :>-791-3225(W)
    Plaintiff or        Wilmington Trust NA Successor Trustee for the                                                              Travis Gray
    Petitioner          Merrill Lynch Mortgage Investor Trust Series                                                                Retained
    2006-HES                                                                                                   972-247..()653(W)
    EVENrSA Olw.£RsovTH£Couar
    OTHER EVENTS AND HEARINGS
    03/1312015 Docket Sheet
    qc/bmlrrlmmllsRs/jalvpldjmm
    0311312015 Transcript- JP
    qc/bmlrrldYap//slaplap//glls
    03/2412015 Motion (No Fee)
    Motion to set trial on the merits
    03/2412015 Proposed Order
    Order setting mal
    03127/2015 Notice
    ~ of Intention to lntrouduce Business Records Affidavit
    03127/2015 Affidavit
    Business Records Affidavit
    03/27/2015 Notice of Hearing
    No/ice of Trial Setting
    04/2012015 Motion for Dismissal
    Motion to Dismiss for Lack of Jurisdiction
    04/20/2015 Motion (No Fee)
    Motion tor Continuance
    04121/2015 JP Eviction Appeal (9:00AM) (Judicial Officer Morales, Christopher G.)
    04/21/2015 Order Denying
    Defendanrs Motion tor Trial Continuance signed 4121115 qc/jalvp
    04/2112015 ~
    1 qcljalvp
    0412112015 Exhibit
    2 qctjalvp
    04/21/2015 Exhibit
    3 qc1alvp
    04121/2015 Final Judgment After Non-Jury Trial
    signed 4121115 qctjalvp
    04/3012015 Affidavit of lndigency
    Affidavit in Ueu of Appeal Bond QC/MJ
    05/01/2015 Request
    Writ of Possession
    05/01/2015 Motion !No Feel
    Motion to Stay and reconsiderotion
    05/0612015 Writ of Possession
    qc/bmlvs/dj
    05/06/2015 Possession
    Lerch, Marcy                                                 Served                 06/08/2015
    Returned               06118/2015
    0510612015 Answer/Response
    Plaintiff's Response to Motion to Stay and Reconsideration
    05108/2015 Letter to Defendant
    qc/djQC/MJ
    05/1912015 M/Reconslder (9:00AM) (Judicial OffiCer Morales, Christopher G.)
    Oefendanrs Motion to Stay and Reconsideration
    05/19/2015 Proposed Order
    Proposed Order on Motion to Stay
    05/2012015 Letters
    ~r Brief to Court
    05/21/2015 Answer/Response
    Advisory to the Court
    05/2112015 Order Denying
    Motion to Stay and Reconsideration signed 5121/15 qclmm
    0610212015 Notice of Appeal
    Nolice of Appeal
    0610312015 Notice to Court of Appeals
    qc/mvc.1lm
    r--··-
    06103/2015 Appeal Electronic Confinnation
    Notice of Assgnment qclmvCI!lm
    0610412015 Letter from Cler!s
    ''"
    06104/2015 Letters
    FilS! Court of Appeals qclmmlls
    0610512015 Letters
    First Court of Appeals qclls
    06108/2015 Letters
    First Court of Appeals qclls
    06/0812015 Affidavit of lndlgencv
    Pauper Affidavit of Inability to Pay on Appeal qclmvc
    0611112015 Letters
    1st COA- Pauper's affidavit filed qclmvc
    06111/2015 Letters
    First Court ofAppeals qchnvc
    06/1512015 Coey Request
    qclcfj
    0611512015 Flling
    Court of Appeals
    06/1812015 Copy Request
    qclmvclls
    06/19/2015 Ertension of Time
    First qclmvc
    06/19/2015 Appeal Electronic Confinnation
    1st Extension of Time qclmvc
    FIN.\NCUL iNFoR.IUllON
    Defendant or Respondent Lerch, Marcy
    Total Financial Assessment                                                                                                                                            35.00
    Total Payments and Cred~s                                                                                                                                             35.00
    Balance Due as of 0612112016                                                                                                                                           0.00
    04/2012015   Transaction Assessment                                                                                                                                                  2.00
    04120/2015   E-fh1g                           Receipt# 201f>.08074-CCLK                                         Lerch, Marcy                                                       (2.00)
    04/2012015   Transaction Assessment                                                                                                                                                  2.00
    04/20/2015   E..f~ing                         Receipt# 2015-08133-CCLK                                          Lerdl, 1\Aarcy                                                     (2.00)
    0510112015   TICilsaction Assessment                                                                                                                                                 2.00
    0510112015   E-tiling                         Receipt# 2015-09027-CCLK                                          Lerch, Macy                                                        (2.00)
    05/0412015   Transaction Assessment                                                                                                                                                  2.00
    0510412015   E-filing                         Receipt # 2015-09082-CCLK                                         Lerch, Marcy                                                       (2.00)
    05/19/2015   Transaction Assessment                                                                                                                                                  2.00
    05/19/2015   E-filing                         Receipt# 201f>.1031S-CCLK                                         Lerch, Marcy                                                       (2.00)
    05/21/2015   Transaction Assessment                                                                                                                                                  2.00
    05121/2015   E-filing                         Receipt# 201 f>-1 0482-CCLK                                       Lerch, Marcy                                                       (2.00)
    06/0212015   Transaction Assessment                                                                                                                                                  2.00
    0610212015   E-filing                         Receipt# 2015-11166-CCLK                                          Lerch, Marcy                                                       (2.00)
    0611512015   Transaction Assessment                                                                                                                                                 21.00
    06/1512015   In Persoo Payment                Receipt# 2015-12034-CCLK                                          Lerch, Marcy                                                      (21.00)
    Interested Party SediUo, Sandy
    Total Financial Assessment                                                                                                                                             7,00
    Total Payments and Cred~s                                                                                                                                              7,00
    Balance Due as of 06/2112015                                                                                                                                           0.00
    06118/2015 Transaction Assessment                                                                                                                                                    7.00
    06/1812016 tn Person Payment                  Receipt# 2015-12409-CCLK                                          SediHo, Sandy                                                      (7.00)
    Plaintiff or Petitioner \Mimington Trust NA Successor Trustee for the   Mefri• Lynch Mortgage Investor Trust Series 2~E5
    Total Financial Assessment                                                                                                                                           379.00
    Total Payments and Credits                                                                                                                                           379.00
    Balance Due as of 06121/2015                                                                                                                                           0.00
    03/1312015 Transaction AsseS8ment                                                                                                                                                 242.00
    03113/2015 Waiver (Cred~)                                                                                                                                                        {242.00)
    03/2412015 Transaction Assessment                                                                                                                                                    2.00
    03124/2015                                                                                                      Wilmington Trust NA SUccessor Trustee for the Merrill Lynch
    E-flling                           Receipt# 2015-00139-CCLK                                                                                                             (2.00)
    Mortgage Investor Trust Series 2006-HE5
    03/3012015 Transaction Assessment                                                                                                                                                   2.00
    0313012015                                                                                                      Wilmington Trust NA Successor Trustee for the Merrill Lynch
    E-tililg                           Receipt# 201f>.06529-CCLK                                                                                                            (2.00)
    Mortgage Investor Trust Series 2()()6.HE5
    0313012015 Transaction Assessment                                                                                                                                                   2.00
    03130/2015                                                                                                      Vllilmington Trust NA Successor Trustee for the Menill Lynch
    E-filing                           Receipt# 2015-06542-CCLK                                                                                                             (2.00)
    Mortgage Investor Trust Series 20~E5
    0510112015 Transaction Assessment                                                                                                                                                 127.00
    0510112015                                                                                                      \NIIminglon Trust NA Successor Trustee for the Merrill Lynch
    E-filing                           Receipt# 201f>.090~CLK                                                                                                             (127.00)
    Mortgage Investor Trust Series 2006+tE5
    05/0712015 Transaction Assessment                                                                                                                                                   2.00
    0510712015                                                                                                      ll\ollmington Trust NA SUccessor Trustee for the Merrill Lynch
    E-liling                           Receipt# 2015-09428-CCLK                                                                                                             (2.00)
    Mongage Investor Trust SerieS 2006-HES
    1"
    0512012015 Transaclion Assessment                                                                                                                                                   2 .00
    05/2012015                                                                                                      Wilmington Trust NA Successor Trustee for the Merrill Lynch
    Receipt # 2015-1 0399-CCLK                                                                                                           (2.00)
    E-tiling
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