SUIT NO. TARRANT COUNTY, ET AL IN THE DISTRICT COURT VS. JUDICIAL DISTRICT ORIGINAL PETITION

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SUIT NO. 352-D08811-16 TARRANT COUNTY, ET AL IN THE DISTRICT COURT VS. JUDICIAL DISTRICT LTK INC TARRANT COUNTY, TEXAS ORIGINAL PETITION TO THE HONORABLE JUDGE OF SAID COURT: FILED TARRANT COUNTY 3/22/2016 10:36:31 AM THOMAS A. WILDER DISTRICT CLERK PLAINTIFF(S) I. This suit is brought for the recovery of delinquent ad valorem taxes under Tex. Tax Code 33.41 by the following named Plaintiff(s), whether one or more, each of which is a taxing unit and is legally constituted and authorized to impose and collect taxes on property: TARRANT COUNTY, CITY OF MANSFIELD, TARRANT COUNTY COLLEGE DISTRICT AND TARRANT COUNTY HOSPITAL DISTRICT The Plaintiff(s) intends discovery to be conducted under Level 2 of Rule 190, Texas Rules of Civil Procedure. DEFENDANT(S) The following are named as Defendant(s) in this suit, and they may be served with notice of these claims by service of citation at the address and in the manner shown as follows:, Ltk Inc, 2118 Valleydale Dr, Arlington, TX 76013-5426 if living, and if any or all of the above named Defendant(s) be deceased, the unknown heirs of each or all of the said above named deceased persons; and the unknown owner or owners of the following described property; and the executors, administrators, guardians, legal representatives, devisees of the above named persons; and any and all other persons, including adverse claimants, owning or having any legal or equitable interest in or lien upon the below described property located in the county in which this suit is brought. The following taxing unit(s), whether one or more, is joined as a party herein as required by Tex. Tax Code 33.44(a) because it may have a claim and lien for delinquent taxes against all or part of the same property described below: MANSFIELD INDEPENDENT SCHOOL DISTRICT. The foregoing named taxing unit(s), if any, is invited to add its claim by intervening herein. II. Claims for all taxes becoming delinquent on said property at any time subsequent to the filing of this suit, up to the day of judgment, including all penalties, interest, attorney s fees, and costs on same, are incorporated in this suit, and Plaintiff(s) is entitled to recover the same, upon proper proof, without further citation or notice. Plaintiff(s) is further entitled to recover each penalty that is incurred and all interest that Suit No. Page 1 Suit Key No. 2326542

352-D08811-16 accrues on all delinquent taxes imposed on the property from the date of judgment to the date of sale. III. As to each separately described property shown below, there are delinquent taxes, penalties, interest, and costs justly due, owing and unpaid to Plaintiff(s) for the tax years and in the amounts as follows, if paid in March, 2016: PROPERTY AND AMOUNTS OWED ACCT. NO. 13853589 ; MASSAGE BOUTIQUE BUSINESS PERSONAL PROPERTY TARRANT COUNTY 2014 $84.89 $43.47 $128.36 2015 $84.89 $21.51 $106.40 TOTALS: $169.78 $64.98 $234.76 CITY OF MANSFIELD 2014 $228.29 $116.89 $345.18 2015 $228.29 $57.87 $286.16 TOTALS: $456.58 $174.76 $631.34 TARRANT COUNTY COLLEGE DISTRICT 2014 $48.07 $24.60 $72.67 2015 $48.07 $12.19 $60.26 TOTALS: $96.14 $36.79 $132.93 TARRANT COUNTY HOSPITAL DISTRICT 2014 $73.28 $37.52 $110.80 2015 $73.28 $18.57 $91.85 TOTALS: $146.56 $56.09 $202.65 TOTAL DUE $1,201.68 The total aggregate amount of taxes, penalties, interest, and attorney s fees (if any) for which Plaintiff(s) sues is $1,201.68, subject to additional taxes, penalties, interest, and attorney s fees that accrue subsequent to the filing of this petition. Suit No. Page 2 Suit Key No. 2326542

352-D08811-16 IV. All of the taxes were authorized by law and legally imposed in the county in which this suit is brought. The taxes were imposed in the amount(s) stated above on each separately described property for each year specified and on each person named, if known, who owned the property on January 1 of the year for which the tax was imposed. Plaintiff(s) now has and asserts a lien on each tract of real property and each item of personal property described herein to secure the payment of all taxes, penalties, interest and costs due. Pursuant to Rule 54 of the Texas Rules of Civil Procedure, Plaintiff(s) affirmatively avers that all things required by law to be done have been done properly by the appropriate officials and all conditions precedent have been met. V. All of the property described above was, at the time the taxes were assessed, located within the territorial boundaries of each taxing unit in whose behalf this suit is brought. All Defendants named in this suit either owned the property that is the subject of this suit on January 1 of the year in which taxes were imposed on said property, or owned or claimed an interest in or lien upon said property at the time of the filing of this suit. The value of any personal property that may be described above, and against which the tax lien is sought to be enforced, is in excess of FIVE HUNDRED AND NO/100 DOLLARS ($500.00). VI. The Law Firm represented by the attorney whose name is signed hereto is legally authorized and empowered to institute and prosecute this action on behalf of Plaintiff(s). Plaintiff(s) should recover attorney's fees as provided by law for the prosecution of this case, and such attorney's fees should be taxed as costs. VII. Plaintiff(s) may have incurred certain expenses in the form of abstractor s costs in procuring data and information as to the name, identity and location of necessary parties, and in procuring necessary legal descriptions of the property that is the subject of this suit. Said expenses, if incurred, are reasonable and are in the following amount: TO BE DETERMINED. The abstractor's costs, if any be shown, should be taxed as costs herein. PRAYER WHEREFORE, PREMISES CONSIDERED, Plaintiff(s) requests that citation be issued and served upon each Defendant named herein, commanding them to appear and answer herein in the time and manner required by law. Plaintiff(s) further prays, upon final hearing in this cause, for foreclosure of its liens against the above-described property securing the total amount of all delinquent taxes, penalties and interest, including taxes, penalties and interest becoming delinquent during the pendency of this suit, costs of court, attorney's fees, abstract fees, and expenses of foreclosure sale. Plaintiff(s) further prays for personal judgment against Defendant(s) who owned the property on January 1 of the year for which the taxes were imposed for all taxes, penalties, interest, and costs that are due or will become due on the property, together with attorney's fees and abstractor's fees. Plaintiff(s) further prays for: (1) the appropriate order of sale requiring the foreclosed property to be sold, free and clear of any right, title or interest owned or held by any of the named Defendants, at public auction in the manner prescribed by law, and (2) writs of execution, directing the sheriffs and constables for the State of Texas, to search out, seize, and sell sufficient property of the Defendant(s) against whom personal judgment may be awarded to satisfy the lawful judgment sought herein. Finally, Plaintiff(s) prays for such other and further relief, at law or in equity, to which it may show itself justly entitled. Suit No. Page 3 Suit Key No. 2326542

352-D08811-16 Respectfully submitted, LINEBARGER GOGGAN BLAIR & SAMPSON, LLP 100 THROCKMORTON SUITE 300 FORT WORTH, TX 76102 (817) 877-4589 (817) 877-0601 - FAX Stephen T. Meeks State Bar No. 13901100 FW.Litigation@lgbs.com Attorneys for Plaintiffs Suit No. Page 4 Suit Key No. 2326542

A civil case information sheet must be completed and submitted when an original petition or application is filed to initiate a new civil, family law, probate, or mental health case or when a post-judgment petition for modification or motion for enforcement is filed in a family law case. The information should be the best available at the time of filing. 1. Contact information for person completing case information sheet: Names of parties in case: Person or entity completing sheet is: Name: Stephen T. Meeks State Bar No. 13901100 FW.Litigation@lgbs.com Address: 100 Throckmorton Suite 300 City/State/Zip: Fort Worth, TX 76102 Signature:. Email: FW.Litigation@lgbs.com Telephone: (817) 877-4589 (817) 877-0601 - FAX State Bar No. 13901100 Civil Case Information Sheet Cause Number (clerk use only): 352-D08811-16 Court (clerk use only): Judicial District Styled TARRANT COUNTY, ET AL VS. LTK INC Plaintiff(s)/Petitioner(s): Tarrant County Defendant(s)/Respondent(s): Ltk Inc Additional Plaintiff(s)/Petitioner(s) and Defendant(s)/Respondent(s) on page 2 Attorney for Plaintiff/Petitioner Pro Se Plaintiff/Petitioner Title IV-D Agency Additional Parties in Child Support Case: Custodial Parent: Non-Custodial Parent: Presumed Father:. 2. Indicate case type, or identify the most important issue in the case (select only 1): Civil Family Law Contract Injury or Damage Real Property Marriage Relationship Post-judgment Actions (non-title IV-D) Debt/Contract Eminent Domain/ Annulment Enforcement Consumer/DTPA Condemnation Declare Marriage Void Modification Custody Debt/Contract Partition Divorce Modification Other Fraud/Misrepresentation Quiet Title With Children Title IV-D Other Debt/Contract: Trespass to Try Title No Children Enforcement/Modification Other Property: Paternity Reciprocals (UIFSA) Foreclosure Home Equity Expedited Other Foreclosure Franchise Insurance Landlord/Tenant Non-Competition Partnership Other Contract: Employment Discrimination Retaliation Termination Workers Compensation Other Employment: Tax Tax Appraisal Tax Delinquency Other Tax Assault/Battery Construction Defamation Malpractice Accounting Legal Medical Other Professional Liability: Motor Vehicle Accident Premises Product Liability Asbestos/Silica Other Product Liability List Product: Other Injury or Damage: Administrative Appeal Antitrust/Unfair Competition Code Violations Foreign Judgment Intellectual Property Probate/Wills/Intestate Administration Dependent Administration Independent Administration Other Estate Proceedings Related to Criminal Matters Expunction Judgment Nisi Non-Disclosure Seizure/Forfeiture Writ of Habeas Corpus Pre-indictment Other Civil Lawyer Discipline Perpetuate Testimony Securities/Stock Tortious Interference 3. Indicate procedure or remedy, if applicable (may select more than 1): Appeal from Municipal or Justice Court Declaratory Judgment Arbitration-related Garnishment Attachment Interpleader Bill of Review License Certiorari Mandamus Class Action Post-judgment 4. Indicate damages sought (do not select if it is a family law case): Other Family Law Enforce Foreign Judgment Habeas Corpus Name Change Protective Order Removal of Disabilities of Minority Probate & Mental Health Guardianship Adult Guardianship Minor Mental Health X Less than $100,000, including damages of any kind, penalties, costs, expenses, pre-judgment interest, and attorney fees Less than $100,000 and non-monetary relief. Over $100,000 but not more than $200,000 Over $200,000 but not more than $1,000,000 Over $1,000,000 Support Order Parent-Child Relationship Adoption/Adoption with Termination Child Protection Child Support Custody or Visitation Gestational Parenting Grandparent Access Paternity/Parentage Termination of Parental Rights Other Parent-Child: Prejudgment Remedy Protective Order Receiver Sequestration Temporary Restraining Order/Injunction Turnover Suit No. Page 5 Suit Key No. 2326542

Additional Plaintiffs: 352-D08811-16 City Of Mansfield Tarrant County College District Tarrant County Hospital District Additional Defendants: Mansfield Independent School District Suit No. Page 6 Suit Key No. 2326542