2011
09.01

IN THE COURT OF COMMON PLEAS OF MONTGOMERY COUNTY, PENNSYLVANIA
CIVIL ACTION – LAW

SONYA HEALY : #2007-12477
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v. :
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:
TERANCE HEALY :

PETITION REGARDING THE SCHEDULING OF OUTSTANDING PETITIONS

1. Defendant recognizes that the only way to enforce Court Orders is by returning to the Court for enforcement hearings.

2. Defendant understands that as a victim of prior injustices, he is being subjected to further injustice as the Court attempts to deny the injustices occurring in this case since August 2007.

3. The Defendant has no other choice but to continue to petition the Court for justice, and expect justice from those who have prevented and denied it.

4. The Defendant realizes that his testimony on the following matters will reveal crimes, corruption, fraud and unethical activities by various levels of county personnel which have occurred over the course of the matter.

5. The following Petitions which have not yet been heard by the Court.

Defendant requests that hearings be scheduled on the following matters.

Filed August 6, 2010
Plaintiff filed EXCEPTIONS TO THE RECOMMENDATION OF THE CONCILIATOR (2007-12477-210)

Filed August 10, 2010
Defendant filed EXCEPTIONS TO THE RECOMMENDATION OF CONFERENCE OFFICER/MASTER IN SUPPORT (2007-12477-211)

Filed August 12, 2010
Defendant filed EMERGENCY PETITION FOR RELEIF (2007-12477-214)

Filed August 24, 2010
Defendant filed PLAINTIFF”S FAILURE TO COMPLY WITH COURT ORDER DATED AUGUST 22, 2007 (2007-12477-226)

Filed August 24, 2010
Defendant filed PLAINTIFF”S CONTEMPT OF COURT ORDER IN SUPPORT
(2007-12477-227)

Filed September 14, 2010
Defendant filed PETITION REGARDING PLAINTIFF’S EX PARTE COMMUNICATIONS (2007-12477-240)

Filed September 14, 2010
Defendant filed PETITION REGARDING DISCREPANCIES / ERRORS ON INVOICE FOR FEES (2007-12477-241)

Filed December 22, 2010
Defendant filed PETITION FOR THE PRODUCTION OF DOCUMENTS
(2007-12477-277)

Filed December 22, 2010
Defendant filed PETITION FOR THE PRODUCTION OF DOCUMENT
(2007-12477-272)

Filed February 24, 2011
Plaintiff filed EMERGENCY FAMILY PETITION (2007-12477-283)
Defendant filed RESPONSE AND COUNTERPETITION (2007-12477-286)

Filed March 16, 2011
Defendant filed PETITION FOR THE RECUSAL OF JUDGE CAROLYN TORNETTA CARLUCCIO FOR CONSPIRACY, CORRUPTION, FRAUD, INTIMIDATION, CONFLICT OF INTEREST AND DENIAL OF DUE PROCESS/PROCEDURE AND DENIAL OF CIVIL RIGHTS (2007-12477-289)

Filed April 26, 2011
Defendant filed PETITION TO RESCIND / CANCEL THE ORDER OF APRIL 14, 2011 WHICH VIOLATES PA LAW AND THE US CONSTITUTION AND RESCHEDULE ALL OUTSTANDING PETITIONS (2007-12477-295)

Filed June 6, 2011
Defendant filed PETITION TO VACATE ORDER OF MAY 9, 2011 FOR LACK OF JURISDICTION (2007-12477-305)

Filed June 6, 2011
Defendant filed PETITION REQUETING THE SCHEDULING OF UNRESOLVED CLAIMS (2007-12477-307)

Filed June 9, 2011
Defendant filed EMERGENCY PETITION FOR INJUNCTION TO STAY / VACATE THE ORDER OF MAY 9, 2011 FOR LACK OF JURISDICTION

Filed July 22, 2011
Defendant filed PETITION REQUESTING AN IMMEDIATE STAY/RESCHEDULING REGARDING THE ORDER OF JULY 18, 2011 AS THE INCOMPLETE WRITTEN ORDER PLACES THE DEFENDANT IN JEOPARDY.

Filed August 15, 2011
Defendant filed PETITION TO PROCEED IN FORMA PAUPERIS.

The failure to schedule the PETITION TO PROCEED IN FORMA PAUPERIS further delaying the filing of an Appeal to the Superior Court of Pennsylvania.

Filed August 30, 2011
Defendant filed PETITION REQUESTING DISTRIBUTION / DOCKETING OF EX PARTE COURT ORDER

Filed August 31, 2011
Defendant filed PETITION REQUESTING DOCUMENTS AND INJUNCTION BLOCKING SALE OF THE HOME UNTIL APPEAL BY THE SUPERIOR COURT OF PENNSYLVANIA HAS BEEN DECIDED

Filed September 1, 2011
Defendant filed EMERGENCY FAMILY PETITION

Whereas, the Defendant respectfully requests that:

This Honorable Court perform the function entrusted by the people of Montgomery County.

This Honorable Court recognize that the lives of the parties have been considerably disrupted by the Court’s prolonged and inexplicable inaction.

This Honorable Court cease further inappropriate and unethical ex parte activities which have caused the Court to prevent any hearings, or testimony, or evidence relating to any matter as that information will demonstrate the gross injustices and direct involvement of the judiciary.

That this Honorable Court schedule and hold hearings on the matters which have been brought to its attention in accordance with the procedures and laws of Montgomery County, the Commonwealth of Pennsylvania, and the US Constitution.

Respectfully,

Terance Healy
Defendant
Pro Se

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