Court of Civil Appeals of Texas, 2015

John W. Bowers v. Bank of America, N.A.

John W. Bowers v. Bank of America, N.A.
Court of Civil Appeals of Texas · Decided December 28, 2015

John W. Bowers v. Bank of America, N.A.

Opinion

ACCEPTED 06-15-00080-cv SIXTH COURT OF APPEALS TEXARKANA, TEXAS 12/28/2015 8:12:51 AM DEBBIE AUTREY CLERK

#06-15-00080-CV FILED IN 6th COURT OF APPEALS IN THE COURT OF APPEALS TEXARKANA, TEXAS SIXTH JUDICIAL DISTRICT OF TEXAS 12/28/2015 8:12:51 AM TEXARKANA TEXAS DEBBIE AUTREY Clerk JOHN W BOWERS (APPELLANT) v BANK OF AMERICA NA AS SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING LP f/k/a COUNTRYWIDE HOME LOANS SERVICING LP (APPELLEE) __________________________________________________________________ Appeal from the rotating Court of Travis County: 250th Judicial District Court Travis County Texas; Trial Court Case #D-1-GN-12-002006: Honorable Karin Crump, Presiding; NOT Stephen Yelenosky __________________________________________________________________ APPELLANT’s DOCKETING STATEMENT TO THE HONORABLE COURT OF APPEALS: Comes now Appellant, John W Bowers, who files the above: 1 32.1(a)(1) John W Bowers is the appellant who is represented & whose contact information is shown below.

2 32.1(c) The Trial Court information is shown above; the date of the judgment/order appealed is August 12, 2015 – the denial of the Motion for New Trial which was NOT overruled by operation of Law.

3 32.1(d) The date of the filing of the Motion for New Trial was May 29, 2015.

2015 #523 Page 1 4 32.1(e) Comment [RK]:

Appellees have been represented by various attorneys: the most current of which is: Mark D Cronenwett, [email protected], Mackie Wolf Zietntz & Mann PC, 14160 N Dallas Pwky #900, Dallas Texas 75254, (214) 635-2670 – phone, (214) 635-2686 – fax.

5 32.1(f) The general nature of the case is breach of contract, fraud & deceptive trade practices!

6 32.1(g) This is not a priority appeal. A CLERK’s RECERD REQUEST HAS ALREADY BEEN FILED THIS MORNING BUT THE PAYMENT OF THEIR FEE HAS YET TO BE DETERMINED AS THE AMOUNT IS UNKNOWN?

7 32.1(h) No court reporter’s record will be requested.

8 32.1(l) No supersedeas bond has been filed.

9 32.1(m) Additional information: Thank you for altering the undersigned as to procedural irregularities – hopefully this docketing statement is sufficient WHEREFORE the undersigned prays that this is sufficient.

Respectfully submitted,

Robert Stuart Koelsch State Bar No 11652020

2015 #523 Page 2 PO BOX 4790 Lago Vista, Texas 78645-0008 (713) 882-7259 – Phone (877) 216-5373 – Fax [email protected] Authorized Lawyer CERTIFICATE OF SERVICE AND CONFERENCE I certify that a true & correct copy of the foregoing has been served in compliance with TRCP upon the other side(s) on or near the file stamp date, without further consultation.

Robert Stuart Koelsch

2015 #523 Page 3

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