Free Motion for Miscellaneous Relief - District Court of Connecticut - Connecticut


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Date: December 31, 1969
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State: Connecticut
Category: District Court of Connecticut
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Case 3:00-cv-00835-CFD Document 559 Filed 07/18/2008 Page 1 of 3
UNITED STATES DISTRICT COURT __
DISTRICT OF CONNECTICUT
INDYMAC BANK, F.S.B.
Plaintiff Civil Action No.
v. 3:00CV835(CFD)
MOSTAFA REYAD and WAFA REYAD
Defendants Date: JULY 18,2008
DEFENDANTS EMERGANCY MOTION FOR INJUNCTIVE RELIEF
Defendants Mostafa Reyad and Wafa Reyad hereby, Respectfully Moving
this Court in an Emergency Situation For Injunctive Relief. Plaintiff attorney,
namely, Rowena a. Moffett acted in Contempt of this Court’s Order, and
Disobeyed this Court Writs of Execution Orders Issued by this Court’s District
Clerk, which stipulate the execution is upon Nonexempt Personal Properties. The
Writs include " Exemption Claim Form Property Execution". Attorney Moffett
applied to this Court to appoint Mr. Sanford Levine to act as processor server
under her direction. Knowingly directed Mr. Levine to execute upon exempt
personal properties before this Court Ruling upon Defendants’ motion for
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Case 3:00-cv-00835-CFD Document 559 Filed 07/18/2008 Page 2 of 3
exemption. Attorney Moffett admitted her act against the law, claiming that Mr.
Levine is holding all contested funds pending ruling on Defendants’ claimed
exemptions. Attomey Moffett admission is culpability of acting against
Connecticut General Statutes. Attorney Moffett did not provide evidence that, the
contested funds is in hold with Mr. Levine. She acted in persistent contempt by
not returning those funds to the gamishees.
Plaintiff in this Action’s Caption, IndyMac Bank, F.S.B., has been Declared
Dead by Order of the United States Federal Deposit Insurance Corporation as of
July ll, 2008 at 3:30 p.m. Plaintiffs Death establishes the Imminent Irreparable
Harm would Occur if those funds will not be returned immediately as mandated by
a provision of the statute.
CONCLUSION
WHEREFORE, ORDER BY THIS COURT SHOULD BE ISSUED, Ordering
attorney Moffett to turn over the Funds to the same place it garnished from as
follows:
1- The amount of S 26,288 illegally garnished from New England Life
Insurance Company.
2- The amount of $748.74 illegally garnished from Mostafa Reyad’s account
maintained with Bank of America.
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Case 3:00-cv-00835-CFD Document 559 Filed 07/18/2008 Page 3 of 3
3- The amount of $ 407.36 illegally garnished from Wafa Reyad’s account
maintained with Bank North.
The Defendant The Defendant
Mostafa Reyad Wafa Reyad
it
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Mostafailleyad Wafa Reyad
92 Aristotle Way 92 Aristotle Way
Cranbury, NJ 08512-2550 Cranbury, NJ 08512-2550
Phone : 201-621-3925 Phone : 201-621-3925
E.mail: [email protected] E.mail:[email protected]
CERTIFICATE OF SERVICE
I, the undersigned Mostafa Reyad, certifies, that on the captioned dated or before
has served the attached document by mailing a true and correct copy to the
following:
Attorney Rowena A. Moffett
Brenner, Saltzman & Wallman
271 Whitney Aenue
New Iiiaven, CT 06511
By
M¤sta$a Reyad
92 Aristotle Way
Cranbury, NJ 08512-2550
E.mail: [email protected]
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