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Candidate For Lake Village Ark Mayor Has Court Problems

A Lake Village Ark Candidate that is running for Mayor of Lake Village Ark has court problems. Recent court documents from Chicot County Arkansas Circuit Court and Washington County Mississippi shows the Candidate for mayor has legal trouble. Editors Note: All info in this story is open to FOI (Freedom of Information Act).



In Chicot County Ark Circuit Court Filings shows that a damaged process servers vehicle was damaged by the Candidate with a 2 x 4 lumber. The damaged parts of the vehicle are listed below and the total estimate.

Answers To Plaintiff’s First Set Of Request For Admissions Propounded To Defendant

Comes now Mr.Gillison, by and through his attorneys, Turner Law, P.A who for his Answers to Plaintiffs’ First Set Of Request for Admissions Propounded to Defendant, states and alleges as follows;

  1. The Defendant is unaware of any fact that shows or tends to show that the Chicot County Arkansas Circuit Court lacks subject-matter jurisdiction to hear this case.
  2.  The Defendant is unaware of any fact that shows or tends to show that venue is improperly laid in the Chicot County, Arkansas.
  3.  On May 18, 2015, the Defendant resides in the 2708 block of Lakeshore Drive in Lake Village, Arkansas.
  4. On or about May 18, 2015, Mr.Klaser traveled to the block of 2708 Lakeshore Drive in Lake Village, Arkansas.
  5.  At the time Mr.Klaser appeared at the block of 2708 Lakeshore Drive in Lake Village, Arkansas, the Defendant was present.
  6.  Mr. Klaser attempted to serve legal papers on the Defendant.
  7.  Mr.Klaser arrived at the block of 2708 Lakeshore Drive in Lake Village, Arkansas, in a 2008 Chevrolet Silverado which he was driving.
  8.  When Mr.Klaser attempted to give the papers to the Defendant, the Defendant charged at Mr.Klaser.
  9.  Among other things, the Defendant ran towards Mr.Klaser with a piece of 2×4 lumber.
  10.  The Defendant engaged in hitting Mr.Klaser’s vehicle with the piece of lumber.
  11.  Mr.Klaser drove away in his vehicle while the Defendant was still engaged in hitting the vehicle with a piece of lumber.
  12.  Mr.Klaser contacted Lake Village Arkansas Police Department .
  13.  To the Defendant’s knowledge, the Lake Village Arkansas Police Department investigated the incident.
  14.  The Defendant spoke with Corp. Frierson from the Lake Village Arkansas Police Department.
  15.  The Defendant stated to Corp. Frierson that he, the Defendant, did damage Mr.Klaser’s vehicle with the piece of wood
  16.  As a result of the incident with Mr.Klaser, the Defendant was charged with or cited with First Degree Terroristic  Threatening.
  17.  The Defendant was convicted of the charge of First Degree Terroistic Threatening that resulted from the incident with Mr.Klaser.
  18. As a result of the incident with Mr.Klaser, the Defendant was charged with or cited with First Degree Criminal Mischief.
  19.  The Defendant was convicted of the charge of First Degree Criminal Mischief that resulted from the incident with Mr.Klaser.
  20.  The actions of Mr.Klaser in no way contributed to the damage of his own vehicle on May 18, 2015.
  21.  With respect to the Defendant’s Answers to the Plaintiffs’s Complaint, the Defendant has no factual, good-faith basis for denying Paragraph 4 of the Complaint.
  22.  With respect to the Defendant’s Answer to the Plaintiff’s Complaint, the Defendant has no factual, good-faith basis for denying Paragraph 5 of the Complaint.
  23.  With respect to the Defendant’s Answer to the Plaintiff’s Complaint, the Defendant has no factual, good-faith basis for denying Paragraph 6 of the Complaint.
  24.  With respect to the Defendant’s Answer to the Plaintiff’s Complaint, the Defendant has no factual, good-faith basis for denying Paragraph 7 of the Complaint.
  25. With respect to the Defendant’s Answer to the Plaintiff’s Complaint, the Defendant has no factual, good-faith basis for denying Paragraph 8 of the Complaint.
  26. With respect to the Defendant’s Answer to the Plaintiff’s Complaint, the Defendant has no factual, good-faith basis for denying Paragraph 9 of the Complaint.
  27. With respect to the Defendant’s Answer to the Plaintiff’s Complaint, the Defendant has no factual, good-faith basis for denying Paragraph 10 of the Complaint.
  28. With respect to the Defendant’s Answer to the Plaintiff’s Complaint, the Defendant has no factual, good-faith basis for denying Paragraph 11 of the Complaint.
  29. With respect to the Defendant’s Answer to the Plaintiff’s Complaint, the Defendant has no factual, good-faith basis for denying Paragraph 13 of the Complaint.
  30. Prior to filling the Complaint, Shelter notified the Defendant of the damages that shelter believed the Defendant owed as a result of the incident.
  31. Prior to filling its Complaint, Shelter demanded that Defendant pay $3,210.13 to compensate Mr.Klaser for the damages resulting from the incident.
  32.  The Defendant does not dispute that the damages shown on any attachment to the Complaint are damages attributable to the Defendant’s actions.
  33.  The Defendant does not dispute that the damages reflected on Exhibit A of the Complaint, the repair estimate, evidences that correct measure of damages  to Mr.Klaser’s vehicle just after the incident.
Damages & Estimates provided by Shelter’s

 

 

 

 
In the Washington County MS Circuit Court in the matter of the Estate Of Mrs. Anthony (Deceased)

ORDER

Having come on for hearing or about June 21, 2018, the Motion for Contempt filed by Mrs.Thomas, and the court being advised that parties to the Estate of Mrs. Anthony (Deceased) conditioned upon the approval of Attorney Dantone’s clients, have stipulated and agreed to certain terms and conditions set forth below as conditions precedents to the closing of the Estate; and subsequent to the stipulation Mr. Dantone, attorney for Mr. & Mrs. Gillison, and Henry Whittaker moved, are terms, to change the date for which his clients would

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