Arbitration SocialSecurity DueProcess Securities LaborRelations JusticiabilityDoctri
1. Why was the Plaintiff's Affidavit of Facts, and DBA which was filed on Monday December 12, 2022, ignored by the Harris County 14th Court of Appeals, and the Harris County 295th and 165th District Court?
2. Why was the Plaintiff's Affidavit of Living Proof, which was filed on Monday December 12, 2022, ignored by the Harris County 14th Court of Appeals, and the Harris County 295th and 165th District Court?
3. Why was the Plaintiff's Affidavit of Nature Status, which was filed on Monday December 12, 2022, ignored by the Harris County 14th Court of Appeals, and the Harris County 295th and 165th District Court?
4. Why did Harris County 165th District Judge Ursula A. Hall ignore all the Motions and Pleading that was filed in her court by Plaintiff Joshua Marbley?
5. Harris County 165th District Judge Ursula A. Hall is under investigation by the State Commission on Judicial Conduct, Case No. 23-0568. Why was this not taken into consideration by the Harris County 14th Court of Appeals before a Final Judgement was enter?
6. On Thursday August 17, 2023, the Harris County 14th Court of Appeals sign a Motion to Dismiss Case No. 14-23-00416-CV. Who is this JOSHUA MARBLEY that the judges are addressing on that Document?
7. On Thursday August 17, 2023, the Harris County 14th Court of Appeals filed an Appeal Dismissed and Memorandum Opinion on Case No. 14-23-00416-CV. Who is this JOSHUA MARBLEY that the judges are addressing on that Document?
8. The Court Staff Members in Harris County 165th and 295th District Court doesn't have an Oath of Office on file with the Harris Country Commission Court. How are they being allowed to perform the duties of the courts without doing something that is a required by Law before you can begin your Duties?
9. In Case No. 4:22-CV-1367 why was a Default Judgement not granted to the Plaintiff for the Defendant First Transit Inc. for failing to respond to the Summons in the Civil Action Complaint?
10. In Case No. 4:22-CV-1367 why was a Default Judgement not granted to the Plaintiff for the Defendant Metropolitan Transit Authority of Harris County, Texas for failing to respond to the Summons in the Civil Action Complaint?
11. In my Case No. 4:22-CV-1367 why was a Pre-Trail Conference never scheduled by Case Manager Jennelle Gonzalez?
12. In Case No. 4:22-CV-1367 why was the Plaintiff's Amended Complaint, Document 15 ignored by the United States District Court of Southern District of Texas?
13. Why did Charles H. Wilson State Bar No. 00797878 "Attorney for First Transit Inc." not file a Withdraw from Counsel with the Courts with is a requirement by Law?
14. Why did Carolyn Martin State Bar No. 24112888 "Attorney for the City of Houston" not file a Withdraw from Counsel with the Courts with is a requirement by law?
15. Why did Barbara Callistien State Bar No. 03664400 "Attorney for the City of Houston" not file a Withdraw from Counsel with the Courts with is a requirement by law?
16.
Why were the plaintiff's affidavits ignored?