# in Re Kenneth Glenn Webb, Relator

> Texas Supreme Court · February 6, 2015

URL: https://www.frixlaw.com/law-library/cases/4040289

## Case

- **Court:** Texas Supreme Court
- **Decided:** February 6, 2015
- **Precedential status:** Published
- **Opinion:** Opinion
- **Cited by:** 0 later opinions in the Frix Law Library

## Citator (automated)

- No negative treatment found by the automated citator. That is not the same as a confirmation that the case is good law; read the citing cases.
- Full citator and citing cases: https://www.frixlaw.com/law-library/cases/4040289

## Opinion text

07-15-00050-CV

KENNETH G. WEBB
TDCJ # 1454974
899 FM 632
KENEDY. TX. 78119-4516
DATE: Felo, (, 201 5

MS. PEEGV CLUP, CLERK OF COURT
S~VENTH COURT OF APPEALS
AMARILLO, TEXAS

DEAR MS. CULP,
Please find herein my PETITION FOR THE ISSUANCE OF THE
WRIT OF MANDAMUS; for filing in the SEVENTH COURT OF APPEALS.
The petition for mandamus is brought cor1cerning a probate matt~r

in the @4th Judicial District Court presided over by Judge William
Smith. The Cause Number in the trial court is :CV049B2 and
concerns the ~state of Rellis Leon Easley in which I, Kenneth
Webb am the sole heir.
This Motion for the Writ of Mandamus consist of 165 pages.
Sixteen (16) is the actual Motion and ~49 pages are documents
of the trial court and its representatives. In support of the
mandamus requesting the Seventh Court of Appeals to Order the
llonorable Judge Smith of the 84th Court of Hansford County, Texas
to rule on the probate case which has been before the bench since
20lJtl.
*** Please date stamp Lhis Cover Letter and return to me for
mu files showing that it has been filed and pald For. Thank you
for your time and consideration.

~~w
~~eth Webb #154974
CONNALLY UNIT
699 FiVi 632

KENEDY, TX. 78119-4516
IN THE COURT OF APPEALS

SEVENTH DISTRICT OF TEXAS AT AMARILLO
·s ~:· ~\:T~·~i ;j'~~ ) And then flat out denial

by the 84th J.D.Ct. and Judge Smith. To finally totally

ignoring the relators communication to the court. This pro-

bate case has been before thecourt for long enough. Surely

the Court has no reason for such delays in an uncontested

inheritance.

The Relator would show this Honorable that his Motion

to Remove an Unlawful and Unenfnrcable Child Support Lien

is supported bv Case Law and Texas State Law as well .. That

such laws are not in questin nor debatable in this instance.

fexb 6
Being t~t the ·origional child support issue was filed

Dn _c F e b • 0 2 , 1 965 • That the last child of R.L. Easley became

an· adult im Mav of 1982 . texb.O
. -···-..,.
-..

that his last court ordered child support payment was May

26, 1982.

That R.L. Easley's ex-wife did not file for an exten-

tion for time to cnllect any child support in arreage is

not debated, during the legally '~l~llect time. But when

in 2003, April 16. The court order Easley to pay arreage

to A.K. Stinnette in the amount of $82,733.61 on an invalid

Child SupportLien, Mr. Easley had his Estate account raided

for a substantila ammount. Ms. A.K. Stinnette has never

filed for. comolaind of that wmich was or was not received.

6
Since this ruling and the payments to Ms. A.K. Stinnette

the father of these two children, R.L. Easley has passed

a wa y • ( e x.b-llt 2 p • J1 Z.. ) . Their mother Ms. Stinnette has

passed away as well. And the children. Debra Easley, now

53 years old, and Michale Easley, now 52 years old. Have

not filed any pleadings, nor m~de any claims to the R. L.

Easlet estate to which Relator Kenneth Webb is the Sole

Heir. Recognised by the State of Texas and the Court. Even

with relator paying for service and notice to each concerning

his attempts to have the Probate case settled and turned

over to him. fexb. 1
This delay by the court has no legitimate nor legal

reason to have existed in the first place. And certainly

not for continuing for six (6) plus years. Any further delay

will only enhance the irreparable har~ already caused to

the Relator and further hinder his attempts to get an accounting

of and corrections made to the Estate.

VI

Concerning Relator Webb Demand for an accountinq of the

R.L. Easley Estate. Deceased; to which relator is the sole heir

This also has been before the 84th Judicial District Court and

Judge Smith since 5-9-2011. The motion itself never being add-

ressed. and at which time the Executrix Walker and Attorney

Biggers had already deserted thir position in this case.

which they had been hired to preform. (exb 3 p ./, z.,3,1)
(exb ~ p.~ 1 5 1 ~ ) Showinq the relators Application

for Sale of Real Prppertv. (exb ~ p.$ 1 '1 ) Verified Exhib1..-t.

S how in g Condition of Estate ; (ex b (}? p ./ l;j J? 0 r de r of

Sa 1 e o f Per s on a 1 property ; ( e x b &7 p . t0 1 I ( Report of

Sale; ( exb ~ p. t'Z ) Decree confirming Sale. Relator

as the then owner of this Estate should have been given

and should have received updates of Transactions involving

the Estate. Certainly a full accounting in light of

Attorney Biggers own admission of mishandling funds from

sale of estates property. ( exb L{ p. 1 ) And the fact

that Mr. Biggers and Ms. Walker had ceased to preform

thier duties to the estate and the relator. And had de-

serted the Estate, as far as relator knows. One. Ms.

Walker discontinuing all contact with relator. The other

Mr. Biggers misleading, lying, violtatinq ordered rules

and obligations and not so subtle threatening the rela-

tor. The 84th J.D.Ct. via Judge Smith should certainly

have r u 1 e Jd 0 n this M0 t i 0 n as we 11. (eX b ~ p(. B" /1. ttJ- I"? rip f 11
\.
Also letters to an from the Court. The Court Clerk,

the Judge W. Smith, and Mr. Biggers. ( exb 7
In which it would appear Relator Webb was given the run

around from the court and absolutely Mr. Biggers. And

especially since he appears to have kept $13,800 of the

sale of Homestead Property: Which was sold by Ms. Walker.

approved by the court. ( exb ~ p. ;;23 1 f}!6 (II 1 P• t/.-
After giving Ms. Walker $5,000 from the sale. (exb3 p. q
find to which NU hiEN was attached nor claims made against.

) Therefore in the least the
-
monies from the sale of said Homestead property should

have gone into the Relators father Estate account. Not

into the .dccount of Mr. Biggers, to be supposedly doled

out to the court or some mysterious person. In fact

the monies, being from the Sale of Homestead Property

also inherited from Relators Father, being exempt from

attatchment (exb ~ p. "( 1 ) and having no liens nor

claims on said property, should have went to Relators

personal account as i t had no guestionable liens filed

against i t . *ex b ~ P. II/1 II
Added to these illegalities is the Bank in which

the Relators Estate is being held has continually refused

to give relator an accounting of his own esate funds

and financial transactions. (exb. ~ p.3~r3?) Unless

the Attorney Mr. Biggers or the Execturix Ms. Walker

aothorize the request. And in'fact Court ordered obligation

to give relator and accounting periodically.

Added to this. The Courts ignoring the Relators

request for an accounting, as it absolutely 04~ authorize

and order such. Relators Motion to Dismiss both the

Attorney and Executri~ and for the Estate to be turned

over to Relators and a full accounting to Relator and

the Court should be so order. Irreprable harm is more

than obvious in this case.

q
VII

Relator would show this Honorable Court. in support of

Petition for the Issuance of Writ of Mandamus further cause.

Relator as made extensive contact with the 84th J. D. Ct. and

J u d g e Wi 11 i am S mi t h h i ms e 1 f . ( e xb ? p . I .fiJ~"o""f' l) ) Co n c e r n i n g

his inherited estate and the actions of the Attorney Biggers

and Execturix Walker. As well as concerning his pleadings,

motions and filings. And questioning his own;relators, obliga-

tions and the delays by the Court. (exb 1 p. '1-7'?7 As well

as numerous letters to the Court Clerk. Ms. Kim Vera.

This is exhibited by his Docket Book Report from the Court (exb &?
p. ~2,? ) Which presents most of the communication dates and brief mention

of content in Case No. CV04982 in the S4th Judicial District Court in Hansford

County. Texas.

These include but are not limited to his motions to Dismiss the Attorney

C. Biggers as well as the Motion to dismiss the Execturix L. Walker for their

abnadonment and failure to preform duties in the interest of the Estate of

R. L. Easle~ and the relator. (exb. 3 p.o -16 ) Also the relators

Motion for an Accounting of the estate and his communications with the Judge

and the Court concerning this matter. (exb ~ p. / - 3(C)£~1)
Attached also are several documents and letters to and from the Court

showing the relators often sought inofrmation and asking and receiving in-

formation on how to proceed and complying with such. Only to be told by Judge

W. Smith that the relator can address this matter when he qot out of orison.
~ '
( exb 1 p -121 1J ) And knowin~ that relator has a 75 Year sentence this is

rather a strange way to handle a Probate Case, uncontested in any Court.

( exb 'l p. 13

10
Thus once again relator asserts ~at i t has been

an Abuse of Discretion, perhaps negligence of collusion

in continuing to delay a hearing and ruling on the Relators
'
motions before the 84th Judicial District Court. Whereas

credible documentary evidence has been presented to the

Court. None of which has been opposed nor answered from

Mr. Biggers nor Ms. Walker. And in fact, each being notifed

by the Relator and the Court ( exb. 1 p. }.,1 3 as reported

to Relator in a seemingly threatening manner by Mr. Biggers.

Certainly all parties are aware of relators intentions to

have the probate case CV0~9B2 the matter of the Estate of

R. L. EASLEY To which Relator is heir and sole owner of.

be settled. The unnecessary delays are obvious, the reasons
A
for said delays obscu~and questionable. Irreprable har"'l

has already been done to relator by the 84th J.D.Ct.

Relators respectfully request the Honorable Seventh Court

of Appeals, In the interest of Just~~e and ruling laws Grant

and issue his Mandamus request ordering the 84th J.D. Ct.

and Judge Smith to rule on his motions and dispose of the

probate case before it. So relator can either take control

of His EsiAt~or proceed furthe through the courts. Which-

ever is necessary.

Again, there is no legitimate reason for the nearly

decade delay in concluding this case. No legal reason for

such a delay. And again raises ~uestions about the handling

of this case.

11
PRAYER

Wherefore for good cause shown, Relator Kenneth G. Webb, re~pect-

fully comes before the Seventh Court of Appeals, in Amarillo

Texas and request its consideration on the Petition for the Writ

oof Mandamusbe issued; Ordering the Honorable Judge Smith of

the 84th Judicial District Court in ~ansford County Texas.

to rule on the motions that are before his court concerning the

£state of RELLIS LEEJN_ EASLEY #cv04982. 1o which Relator Webb is

the sole heir too, as has been approved through this same court

And is uncontested nor challenged on his ownership and receiver-

ship of said estate in any manner.

Relator would beg the Court to intervene and rule on his

beh~~f as far as the 84th J.D.Ct. wanting to wa~ till relator

is "out of prison" to rule on the case. Of which all Motions

and Pleadings by relator are as complete, clear and legitimate

as his ability to put them forth are.

Submitted this day of Jttl\(..x:try 2015.

Verification

I. Kenneth Glen Webb, do hereby verify that the forgoing statements

and papers in this, my PETITION FOR THE ISSUANCE OF THE WRIT OF MANDAMUS

are true and correct to the best of mv Knowledge. Executed this ~day, of

s,/) c;-.J . C.~L t;'
t:::r.v f...JZ:1o../ . '-"- w $' • and_--'.P--'''--=f age.

, Witn
Subscribed and acknowledged before me by the said /1F:LL.iS Qort/ p-,q.sLt;/
testat.QB., and subscribed and sworn to before me by the said H-:£t..:li;-N t_g-t......I(S

and gA.o-/IJ.IJ-. It/teL,.. witnesses, this~~ay of 0Atf!!lt-t'/ ,A. D /99~
(Seal)
CINDY R. BAXTER
NOTARY P\JSI.lC,
~4 R~ /kv.ifA
STAYT:OFWIAS
MYOOMMISS10NI:XPIRES3-21-98
Notary Public tf'zidtZ.LL County, Texas
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ive me,
' then to m)' heirs at law under the statutes of descent and distribution then in force in the State of Texas,
and in the proportions provided br the statutes.

II

I appoint m ) · - - - - - - - - · · ,
independent execut....c.LL of mr ~ill and estate, to act without bond and free li supervision of an)'
court. I authorize my execu~ to sell, convey,le_.e (includinl' oil, 1'&1 and mineral leases), mort-
g&l'e, pledl'e, otherwise dispose of, and contract with respeet to my estate or any part thereof (includ-
ing the bor-rowing of money for any purpose), for such considerations and upon such terms ·and condi-
tions as to deatn may seem proper, intending hereby to Jl'ive my execut.c.L.x.:all the powers that
a fee simple owner )'l'ould have over the property comprisinl' my estate. ·

III
!! m.::·- E!,(&;T,...' +sh-ou.ld net survioce me o:- should f':1i =fuse O!" be unsh1~ to :!.et :as ~xeeut...l:!LL_.
then I appoint as alternatt: independent execut~. -.,J..JCZJj~-U-.&..Ju:t-.L....:U.r...I-Lhe-.---.L.!,=J~:!:::..!...;.I~=7.w:.-J,fCiif-J~9-------
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1

i1
').,._
Benny D. Wilson
Hans(ord County Judge
16 Northwest Court
Spearman, Texas79081-2052
hansfordco@hotmail.com
Phone: Major Cities
·Spearman Spearman
806-659-4100 Gruver
Gruver Morse
806-733-2901 Fax 806-659-4168

February 16,2009

Kenneth Webb
#1454974
3001 S. Emily Dr.
Beeville, TX 78102

Re: Cause No. P02514 -Estate ofRellis Leon Easley

Dear Mr. Webb:

I received your request on 2-4-09.

It would appear to me that under Section 157.269 of the Texas Family Code that this
"Child Support" lien within Moore County would not be within the jurisdiction of
Hansford County Court.

Your request will be filed in Cause No. P02514, Estate ofRellis Leon Easley, Hansford
County, Texas. ·

s/2:;v~
Benny D. Wilson
Hansford County Judge

BDW/df
Er5· 4f f f?. '·I
Mar-19-09 11:03A H~nsford Co. Clerk 806 659 4168 P.Ol

TN THE ESTATE OF I IN THE COUNTY COURT
.,I
OF
Relli.~ !.,eon Easlev I
I HANSFORD COUNTY. TEXAS

ORDER TO TRANSFER TO DISTRICT COURT

BECAUSE 01•' REQURST by Heir lo /his Court, which has no at.tthority in requesJed
maller,
ll' IS JJEREBY ORIJERED thai Prohal.e Cause NtJ. P02514 jiled in thi.~t Cmut, will
be transforred to the R4th Dis/riel CtJurl ofl/ansford County, Texas.

SIGNED ON the 181' day of March . 20-~0~9_

~~
BENNi.WJLSON, JUDGEPRE..WDING

, /SO
llrlfa~1::0·~.3.:JE
H
OQ
Kim V. V&a, Co'n;M G _. AD., 20
rur;]f. ourt Oerk -- I

'h.- .'5.1. f''::.L :113
-.-
£'f.f, =~ ~-.

I~ if -
'
Vol. 55 Pg. (o \ '2.,
IN THE ESTATE OF § IN THE COUNTY COURT
§
RELLIS LEON EASLEY, § OF
§
DECEASED § HANSFORD COUNTY, TEXAS

APPLICATION TO PROBATE WILL AND
FOR ISSUANCE OF LETTERS TESTAMENTARY

TO THE HONORABLE JUDGE OF SAID COURT:

Lou Walker on behalf of Ke1111eth Glenn Webb ("Applicant"), furnishes the following

information to the Court in support of this Application for the probate of the written Will ofRellis

Leon Easley ("Decedent"), and for issuance of Letters Testamentary:

1. Applicant, Kenneth Glenn Webb by his attorney-in-fact, Lou Walker, is an individual

interested in this Estate, being domiciled in and residing at 120 Davenport, Borger, Hutchinson

County, Texas 79007.

2. Decedent died on March 9, 2007, at Amarillo, Potter County, Texas, at the age of67.

Decedent's domicile at the. time ofhis death was Spearman, Hansford County, Texas.

3. This Court has jurisdiction and venue is proper because Decedent was domiciled in

Texas and had a fixed place of residence in this County on the date of his death.

4. Decedent owned property described generally as real estate, cash, personal effects and ·-
household goods of a probable value in excess of$25,000.00.

5. Decedent left a valid written Will dated January 20, 1998, which was neverrevoked

and is filed herewith.

6. A necessity exists for the administration of the Estate, specifically final bills need to

Filed at3 ~ o'dock"P. M., cg '.'2..C} A.D., 20 tl'7
1
Kim V. Vera~ Co/Oist Court Clerk
/A Ha,nsf(\l"d County, Texas
By CllA.WUJ~ ,Deputy
be settled..

7. After the date of the Will, no child was born to or adopted by Decedent.

8. Decedent's Will named Ruby Pauline Speegle Webb to serve as Independent

Executrix to act independently without bond or other security. Ruby Pauline Speegle Webb. is

deceased, and cannot serve as Independent Executrix. Jaquita Pauline Alonzo was named as alternate

Independent Executrix but she has refused to serve as Independent Executrix. The only beneficiary

and
.
heir of decedent is Kenneth Glenn Webb, who is statutorily
.
disqualified to serve as Independent
:• ..

Executor. Lou Walker resides in Borger, Hutchinson County, Texas. Lou Walker, individually, is

not disqualified by law from serving as such or from accepting Letters Testamentary, and would be

entitled to such letters.

10. No state, governmental agency of the state, nor charitable organization is narrted by·.

the Will as a devisee.

11. The Will was made self-proved in the manner prescribed by law and the subsctibitig

witnesses to the Will and their present addresses are Helen Lewis, whose address is Amarillo, Texas,

and Brenda Appel, whose address is Amarillo, Texas.

WHEREFORE, Applicant prays that citation issue as required by law to all persons interested

in this Estate; that the Will be admitted to probate; that Letters Testamentary be issued tO Lou
Walker; and that all other Orders be entered as the Court may deem proper.

2
Vol. 55 Pg. (o\3

?.l
' l

No. PR0-2514

IN THE ESTATE OF § IN THE COUNTY COURT
§
RELLIS LEON EASLEY § OF
§
DECEASED § HANSFORD COUNTY, TEXAS

ORDER AUTHORIZING PAYMENT OF EXEUCTOR'S COMMISSION

On this 12_ day of mc,tc::l, , 2009, the Application for Executor's Commission filed by
Lou.. Walker,
. Executrix, was heard and considered by this Court, and the Court finds that the

Executrix has taken care of and managed the Estate in compliance with the standards set forth in the

Texas Probate Code; that the Executor's Commission requested is correct, reasonable, and just; that

the Executor's Commission should be paid; and that the Application should be granted.

IT IS THEREFORE ORDERED that the Executor's Commission in the amount of

$5,000.00 should be paid out of the funds belonging to the Estate of Rellis Leon Easley to Lou

Walker, Executrix ofthe Estate ofRellis Leon Easley, Deceased.

SIGNED this l2_ day of mcrrd, ,.2009.

~Q~
JUDGE RESIDING

APPROVED AS TO FORM:
Law Office of
Cecil R. Biggers
P.O. Box 342
Filed at U-~'dockAM.,3.:l3= A.D., C9 (iJ

Speannan, Texas 79081
.(im V. Vera, Co/Dist Court Oer~

&~ou
Tel: (806) 659-5531
Fax: (806),- (;1_59-5531
\
~ __ ,epty -~
/,$
;e~·t(
1HE STATE OF TEXAS
TO ALL PERSONS INTERESTED IN THE ESTATE OF RELLIS LEON EASLEY,
DECEASED, NO. P02514, HANSFORD COUNTY COURT, TEXAS.

APPLICANT: LOU WALKER ON BEHALF OF KENNETH GLENN WEBB

Filed in the County Court of Hansford County, Texas, on the 29th
day of August, A.D. 2007, an application for probate of the Last
Will and Testament of said RELLIS LEON EASLEY, DECEASED, as
Letters Testamentary. (The said WILL accompanying said
application) .

Said application will be heard and acted on by said Court on or
after 10 o'clock A.M. on the first MONDAY next after the
eXPiration of ten days from the date of posting this citation,
the same being the 10th day of September, A.D. 2007.

All persons interested in said estate are hereby cited to appear
before said Honorable Court at said above-mentioned time and
place by filing a written answer contesting such application
should they wish to do so .

. The officer executing this citation shall post the copy of this
citation at the Courthouse door of the County in which this
proceeding is pending, or at the place in or near said Courthouse
where public notices customarily are posted, for not less than 10
days before the return day thereof, exclusive of the date of
posting and return the original copy"of this citation to the
Clerk stating in a written return thereon the time when and the
place where he posted such copy.

HEREIN FAIL NOT, but have you this writ before the·said court at
_the time aforesaid, with your return thereon, showing how you
have executed the same.

HAND AND THE SEAL OF SAID COURT AT OFFICE IN
. THIS THE 3oth day of August, A.DFilea~QJ~.o'dockAM.,
cg..5C) A.D.,20(ff
KIM v. VERA Kim V. Vera, Co/DistCourtOerk
HAN~~~o~y CLFiRK · . _Hansford (:ounty_, Tex_as_ .
B~fv~ftEPUTBy {114 dCLJL...l~ Deputy
SHERIFF'S RETURN
. ON.THE 30th DAY OF AUGUST, A.D. 2007, AT 8:5·0 O'CLOCK
A.M.,. EXECUTED ON THE 30th DAY OF AUGUST, -A.D. 2007, BY
POSTING A COPY OF THE WITHIN CITATION FOR TEN DAYS, EXCLUSIVE OF
THE DAY bF POSTING, BEFORE THE RETURN DAY HEREOF, AT THE COUNTY
COURTHOUSE DOOR, HANSFORD COUNTY, TEXAS, OR AT THE PLACE IN OR
NEAR THE SAID COURTHOUSE WHERE PUBLIC NOTICES CUSTOMARILY ARE
POSTED.
RECEIVED-
AOG 3 a ZOO?
· "S:5o ANI DEPUTY
BY:

RETURN TO COURT Vol. 55 pg·. lq 1'7
,. . TO BE FILLED IN .PERSONALLY BY SELLER OR BORROWER WITH HIS OWN PEN
e:
GF# 2008-151
S B ECT PROPERTY·
o¥1~inal Town of·
INDEMNitY AND AFFfOAVfT AS TO DEBTS AND LIENS
·
Ail of LOt Number Four and the N/7; of Lot Number Five, Block 49 t
Spearman Ransrord County, Texast as shown by the recorded plat
-
thereof in Volume 25. Page· 1, Deed Re~ords of Hansford County, Texas. ·
STATE OF TEXAS

COUNTY OP HA.NSFOHD

Contractor (if new construction)
personally known to me to be the persol! whose name is subscribed hereto and upon hi$ or.th deposes and says that the marital
status of affiant has not changed since the date of acquisition of said tlroperty and represents to the purchaser and I or lender
in this· transaction that to my knowledge there are:
1. No unpaid debts for plumbing fixtures, water heaters, floor !ornaccs, air conditioners, radio or television anteonae,
carpeting, rugs, lawn spl"inlcling systems, venetian blinds, window shades, draperies, electl'ic appliances, fences, street
paving, or any personal property or fixtures that are located on the subject property described above, and that t1o such·
items have been purchased on time payment contracts, and there are no $ecurity interests on such property secured by
financing statement, security agreement or otherwise except the following: ·
Approximate Amount

-----··----·~--
------------·--
;!, No loans or liens (including Federal or State Liens and Judgment Liens) of any lcind on such property except the following;
Ap)JtoxlntAtt AmouJ_tt

_.._._, _ _..........._...... -..-.............;..;;.._·-·-· - -···-__......,:.;....,..;.o;;,_. II.

ftf"J~~tr'"~rid"~~11"e'ri:i!Q~~i":rilfe:~~~h~lru~-;r~{i:provcm":~~:rbe'~:~~~~cf;!op~~trl~e"t:e~.:Pifd?tr't,;d"
t.here are n()W no unpaid labor o1· material claims agllin~t the irnprovemetlt$ c)r the pl"operty upon which same arc situated,
and l hereby declare t.hat all surns of money due for the crecti.~W. tqL
--·-·------..,...--------
---------~---+- =----~-----~-~¢--
~-
1· ...

Vol. 55 Pg. (p2,_{D No. PR0-2514

IN THE ESTATE OF § IN THE COUNTY COURT
§
RELLIS LEON EASLEY, § OF
§
DECEASED § HANSFORD COUNTY, TEXAS

PROOF OF DEATH AND OTHER FACTS

On this day, Lou Walker ("Affiant") personally appeared in open court, and after being duly

· sworn, deposed and said that:

1. "Rellis Leon Easley (Decedent) died on March 9, 2007 at Amarillo, Potter County,

Texas, at the age of 67 years and four years have not elapsed since the date of Decedent's death.

2. "The Court has jurisdiction and venue over the estate in that Decedent was domiciled

and had a fixed place of residence in Hansford County, Texas on the date ofhis death.

3. "To the best of my knowledge Decedent died testate, and his Will was signed on

January 20, 1998.

4. "Citation has been served and returned in the manner and for the length of time

reqUired by the Texas Probate Code.

5. "A necessity exists for the administration of this estate.

6. "The Decedent's Will was self-proved.

7. "To the best ofmy knowledge, the Will filed for probate was never revoked by Rellis

Leon Easley.

8. "No state, governmental agency of the state, nor charitable organization is named by

the Will as a devisee.

l'O 9. A ;:4ft~the date ofthe Will, no child was born to or adopted by Decedent.
Filed at~'dock~
\\ M.~AD., 20fl7
Kim V. Vera, Co/Dist Court Oerk

By
( ¥i4:B )· , Deputy
10. "Decedent had never been divorced.

11. "Will named Ruby Pauline Speegle Webb who is deceased to serve as Indepedent

Executrix to acti independently, the alternate was Jaquita Pauline Alonzo who has refused to seve as

Executris, and that the heir Kenneth Glenn Webb is legally disqualified from serving as Executor and·

the said Lou Walker is not disqualified by law from serving as such or from accepting Leeters

Testamentary, and would be entitled to such letters.

12. "To the best of my knowledge, the proof required for probate has been made, Lou

Walker is not disqualified by law from accepting Letters of Administration or from serving as

Administratrix and is entitled to such Letters."

Signed this ffiay of SQ..p}.

ou Walker

SWORN TO AND SUBSCRIBED BEFORE ME on this the \9.~ day or:;~~~.....,
2007 by Lou Walker, to certifY which witness my hand and seal of office.

Kim V. Vera
Clerk, County Court of
Hansford County, Texas

/

Vol. 55 Pg. {p2_'1
No. PR0-2514_

IN THE ESTATE OF § IN THE COUNTY COURT
§
RELLIS LEON EASLEY, § OF
§
DECEASED § HANSFORD COUNTY, TEXAS

ORDER PROBATING WILL AND
AUTHORIZING LETTERS TESTAMENTARY

On this day came on to be heard the Application filed herein by Lou Walker on August 29,

2007, for the probate of the Will of Rellis Leon Easley, hereinafter called Decedent, and for the

issuance of Letters Testamentary.

The Court, after having heard and considered the evidence, finds that legal notices ofthe filing

of said Application have been issued and posted in the manner and for the length of time required by

law, and no one came to contest same; and it further appearing that said Will was executed on

January 20, 1998 with the formalities and solemnities and under the circumstances required by law to

make it a valid Will, was self-proved according to law during the lifetime of said Decedent; that such

Will has not been revoked by Decedent; that Decedent died at Amarillo, Potter County, Texas on

March 9, 2007; that this Court has jurisdiction and venue over the estate because Decedent was

domiciled in Texas and had a fixed place of residence in Hansford County, Texas at the time ofhis

death; that four years have not elapsed since the death of Decedent or prior to the said Application;

that a necessity exists for the administration of this estate, specifically pay debts oflast illness; that no

state, governmental agency ofthe state, nor charitable organization is named by the Will as a devisee;

that Decedent's Will named Ruby Pauline Speegle Webb who is deceased to serve as Independent

Executrix to act independently, the alternate was Jaquita Pauline Alonzo who has refused to serve as

Executrix, ~ that.the heir Kenneth Glenn Webb is legally disqualified from serving ~ Executor and
FiledatrD'~ ;D~&:s,. 9-1~ •rzoC+f. · ·
~1\\:V:~Q)~ ~~ailerk·
j-H~
By fh..4J ' ' . Deputy
I
. '

the said Lou Walker is not disqualified by law from serving as such or from accepting Letters

Testamentary, and would be entitled to such letters and that Lou Walker should be appointed as

Independent Executrix.

IT IS THEREFORE ORDERED AND DECREED by the Court that said Will is hereby

proved and established and admitted to probate and recorded as the LAST WILL AND

TESTAMENT of said Rellis Leon Easley, Deceased, and that Lou Walker be, and is hereby

appointed Independent Executrix of said Will and Estate with bond set at $ A5 () 0. oJi!- .
IT IS FURTHER ORDERED by the Court that Letters Testamentary upon the Will and

Estate ofRellis Leon Easley, Deceased, be and the same are hereby granted, that the Clerk shall issue

said Letters Testamentary to Lou Walker, as Independent Ex~cutrix, when qualified according to law,

and that no other action shall be had in this Court other than the return of an Inventory, Appraisement

and List of Claims as required by law.

SIGNED this/ CJ~ay of ~IML,/, 2007.

JUDGE SIDING

APPROVED AS TO FORM:

g
Attorney for ou Walker
State Bar No.: 02308500
P.O. Box 342
Spearman, TX 79081
Telephone: (806) 659-5531
Facsimile: (806) 659-5531
t .i.••

NOTICE TO CREDITORS

Notice is hereby given that original Letters Testamentary for the Estate ofRellis Leon Easley,

Deceased, were issued on September 19,2007, in Cause No. PR0-2514, pendingintheCountyCourt ··

ofHansford County, Texas, to: Lou Walker.

All persons having claims against this Estate which is currently being adiniriisteroo · are ..
requited to present them to the undersigned within the time and in the manner prescnbed by law.

c/o: Cecil R. Biggers
Attorney at Law
P~O~ Box 342
Spearman, TX 79081

·tOtJ.. ~ n
DATED thetf:_dayof~ 2007.

lg s
Attoriley for Lou Walker
State Bar No.: 02308500
P.O. Box 342
Spearman, TX 79081
Telephone: (806) 659-5531
Facsimile: (806) 659-5531

PUBLISHER'S AFFIDAVIT

"I solemnly swear that the above notice was published once in the "Reporter-Statesman''.

newspaper, as provided in the Texas Probate Code for the service of citation or notice ofPubliCation,

and the date borne by the issue of the newspaper in which said notice was published was
II
No. PR0-1514

IN THE ESTATE OF § IN THE COUNTY COURT
§
RELLIS LEON EASLEY § OF
§
DECEASED § HANSFORD COUNTY, TEXAS

ORDER AUTHORIZING PAYMENT OF EXEUCTOR'S COMMISSION

On this l l day of me,.re/, , 2009, t~e Application for Executor's Commission filed by
Lou,. Walker,
. Executrix, . was heard and considered by this Court, and the Court finds that the

Executrix has taken care of and martaged the Estate in compliance with the standards set forth in the

Texas Probate Code; that the Executor's Commission requested is correct, reasonable, and just; that

the Executor's Commission should be paid; and that the Application should be granted.

IT IS THEREFORE ORDERED that the Executor's Commission in the amount of

$5,000.00 should be paid out of the funds belonging to the Estate of Rellis Leon Easley to Lou

Walker, Executrix of the Estate ofRellis Leon Easley, Deceased.

SIGNEDthisl2_dayof a)ctrc:.{ ,.2009.

~DL..Lf2..e..
JUDG RESIDING

APPROVED AS TO FORM:
Law Office of
Cecil R. Biggers
P.O. Box342
filed at U-~'dockAM.,3.:l3~ A.D., 01 Lv

Speannan, Texas 79081
Jim V. Vera, Co/Dist Court Gen.

~~.~
Tel: (806) 659-5531
Fax: (806),, (j.59-5531
\
/'

By: ,·: ... c
-Cecll . igge
Attorney for Lou Walker
State Bar No.: 02308500

3

_30
-·2.
~' .

'}

CAUSE NO. CV-04982

IN THE ESTATE OF § IN THE 84TH JUDICIAL

RELLIS LEON EASLEY § DISTRICT COURT OF

DECEASED § HANSFORD COUNTY, TEXAS

MOVANT'S MOTION FOR THE COURT TO REMOVE INDEPENDENT
EXECUTRIX LOU WALKER FROM HER POSITION AS EXECUTRIX
OF THE ESTATE OF RELLIS LEON EASLEY

TO THE HONORABLE JUDGE OF SAID COURT:

COMES NOW Movant, Kenneth ,~nenn Webb ("Movant"), in pro· se,

.making this his motion for the Court to remove independent Exec-

utrix Lou Walker from her position as Executrix of the estate

of Rellis Leon Easley, pursuant to the provisions of Texas Probate

Code, Section 149C. In support, Movant offers the following:

1. Movant is the sole heir and beneficiary of the estate

of Rellis Leon Easley. Movant has the burden to establish a violation of
Sec. 149C. See Matter of Estate of Minnick, 653 s.w. 2d 503, 508 (Tex. App.
Amarillo 1983, no writ).

2. Respondent, Executrix Lou Walker (Respondent"),

was appointed to. represent the estate of Rellis Leon Easley,

deceased in August 2007. The Respondent gave her Oath of Independ-

ent Executrix on September 19, 2007. On July 22, 2008, Lexon

Insurance Company insured the Respondent under bond number 1030021.

The Respondent was previously insured by Trinity Universal Insurance

Company under Bond# 0444115 on September 19,2007.

\- .'
·\'. . . :::. . -~t~

3. Respondent performed her administrative duties as Executrix

from the time of her appointment in 2007 until March 2009, which

is when the .Respondent unofficially stopped performing her ad-

ministrative Executrix duties of the estate and ceased all com-

munication with Movant. During March 2009, the Respondent was

paid a $5,000 commission for performing her executrix duties,

See exhibit A the probate of the estate of Rellis Leon Easley

was transferred from the Hansford County Court to this Court,

see exhibit B ; and the Movant, the Respondent, and the

Respondent's attorney, Cecil Biggers ("Biggers"), were embroiled

in a major dispute over the Respondent and Bi~gers gross mis-

management of the estate.

4~ On September 25, 2008 the Respondent and Biggers notified

Movant that the homesteaded real and personal properties of

the late Mr. Easley did not have any liens placed against such

properties. See exhibit~and~. Prior to this notification

Movant even informed the Respondent and Biggers that he had

heard from other family members that there may be a child support

lien placed against all .the· homestead properties and to invest-

igate if there is prior to selling ~he homestead properties.

See exhibit c . Relying on the September 25th notification,

and a telephone conversation with the Respondent prior to this

notification, in which the Respondent stated to Movant that there

were not any liens on the homestead properties, Movant authorized

2
the Respondent to sell the homestead properties so that Movant

could obtain the cash proceeds from the sale, which totaled

$18,232.34 prior to the Respondent's $5,000 commission being

deducted.

5. Immediately after entering into a contract with purchasers

Pedro Sanchez and Ester Sanchez, the Respondent and Biggers

informed Movant that there was a child support lien

placed against the homestead properties. After being informed

of this fact, Movant immediately notified the Respondent and

Biggers to cancel the sale of the homestead properties, exempted

from the lien's enforceability, until such time a ruling could

be made on the lien's validity, but Biggers informed Movant

he would not comply with Movant's request because the estate

would be liable for damages. See exhibit G

6. On January 23, 2009 the homestead properties were sold

to the Sanchez's and the $18,232.54 in non-exempt cash proceeds

were immediately placed in Biggers attorney trust fund account

and allegedly frozen because of the lien. see exhibitsD,E.

After the Respondent's $5,000 commission was deducted from the

$18,232.54 balance on March 13, 2009, the total balance remaining

is currently $13,232.54. See exhibit-A .

7. · Movant has suf Eered actual harm because of the Respon-

dent's and Biggers foregoing gross mismanagement of the estate

and breach of fiduciary duty. Movant is harmed because he is

3
i' t

now placed in the position of losing the $13,232.54 remaining

balance from the sale of the homestead properties, which would

never have occurred had the Respondent and Biggers informed

Movant of the lien prior to attempting to sell the homestead

properties. Movant believes, but cannot prove, that the Respon-

dent knew of the lien prior to attempting to sell the homestead

properties, but intentionally failed to disclose such to Movant

so that the sale would go through and so that she could obtain

the $5,000 cash commission she was not entitled to receive only

two months after the sale. See exhibit A .

8. The Respondent's attorney, Biggers, without informing
Movant, filed application with! the Hansford County court to pay

the Respondent a $5,000 commission for serving as executrix,

which the County court approved on March 13, 2009. See exhibit2L.

The Respondent and Biggers .apparently failed to disclose to

Judge Wilson that the Movant had already paid the Respondent

for all of her executrix duties by giving her a 4x4 Chevrolet

pickup truck appraised at $8,500, See exhibit I and J , which

occurred on September 28, 2007. And the Respondent and Biggers

also apparently failed to disclose to Judge Wilson that the

Respondent's additional $5,000 commission would be paid with

frozen lien money.

4
I' t

9. After being paid the $5,000 commission, the Respondent
immediately ceased all communication with the Movant because

of the dispute over the sale of the homestead properties.

10. Respondent refuses to disclose to Movant what the

disposition is of all the remaining, unaccounted for property

items, as described in Movant's exhibit __K__ , that were under

the care and control of the Respondent when she ceased from

serving as Executrix in 2009. This is also proof of the Respon-

dent's gross mismanagement of the estate. Since March 2009,

Movant has written the Respondent numerous times in an attempt

to determine the disposition of the many property items described

in exhibit K , but Respondent refuses to reply.

11. Pursuant to Texas Probate Code, Section 149 C (a), this

Court may remove the Respondent from serving as Executrix of

this. estate:

a. For failing to return an inventory of the estate's

property;

b. When sufficient grounds appear that she has misapplied

or embezzled any part of the property committed to her

care;

c. For failing to make an accounting;

d. For failing to file notice required by Sec. 128 A;

e. When it is proved she is guilty of gross misconduct or

gross mismanagement in the performance of her duties;

and

5
I' I

f. When she becomes incapacitated.

12. Movant asserts that the Repondent has embezzled part of

the property committed to her care. See Texas Probate Code,

Section 149 (a)(2). Specifically, the Respondent f,a:iled to ap-

prise the County Court on March 13, 2009 that she had already

been paid for her executrix service in full when Movant gave

her the $8,500 4x4 Chevrolet Pick-up, See paragraph 8, which

her attorney, Biggers, was also aware of as well when he signed

the order authorizing the additional $5~000 commission to be

paid to the Respondent. The Respondent receiving a total of

$13,500 as payment fo~ her services as executrix for such a

small estate is unconscionable, especially when she acquired

the additional $5,000 under false pretenses. Moreover, the

Respondent violated Texas Probate Code, Section 331 when she

accepted the $8,500 4x4 Pick-up truck as commission .for her

services and subsequently sold it for cash without first ob-

taining an order of the Court authorizing the same.

13. Movant asserts that the Respondent may have embezzled,

destroyed, lost, or given away without authorization property

items described in exhibit K which are valued at several

thousand dollars. As to the estate checking account at First

State Bank in Spearman, Texas (checking account No. 203424),

See exhibits L and M , which has been under the sole control

of the Respondent since 2007, the Court will have to order the

6
Bank to provide the records of account No. 203424 from 2007
to the present to investigate and determine if the Respondent

has embezzled any funds from this property item. Movant strongly

belives embezzlement of property described in this paragraph

has occurred because of the Respondent unjustly obtaining

the $5,000 commission decribed in paragraphs 7-9, 12 above,

then ceasing all communication with Movant thereafter in regard

to the property items decribed in this paragraph.

14. Movant further asserts that the Respondent has committed

gross misconduct or gross mismanagement during the performance

of her duties based on the following:

a. Breaching her fiduciary duties that resulted in actual

harm to the Movant when the Respondent and Biggers

informed Movant that there were no liens placed agai-

nst the exempted homestead real and personal

properties described in exhibits D and ~' when
there was a lien placed against such properties,

resulting in the actual harm described in the above-

stated paragraphs 3-7, as well as the harm that resu-

lted when Movant had to spend $2,500 to retain the

services of attorney George Harwood for this specific

issue.

7

7-x ( :'

71
b. Intentionally committing a wrongful act by receiving

an $8,500 4x4 Chevrolet pickup from Movant as full

payment for her duties as executrix, which the Respon-

dent never fully completed, and failing to inform

the Court of such prior to selling the truck
thereafter. Further, petitioning Hansford County

Court for an additional $5,000 in cash for executrix
fees while knowing she had already been paid in full

with the $8,500 4x4 pickup. See paragraph 8.

The obvious harm to Movant is that he has lost $5,000

of estate money.

c~ Failing to continue to serve as Executrix of the estate

after being paid the additional $5,000 commission

on~ March 13, 2009, as well as ceasing all communicat-

ion with Movant thereafter. The harm is Movant may

have to lose additional money for another executor.

d. Failing to inform the Court or Movant about

the disposition and location of all the property items

described in above-stated paragraph 13. The harm

to Movant is that he may have lost several thousand

dollars worth of estate property.

8
t' lf

15. the case law is clear: "Gross mismanagement" or qross

misconduct" in performance of independent executrix duties that

warrant removal of executrix include, at minimum, willful

omission to perform legal duty, intentional commission of wrong-

ful act, and breach of fiduciary duty that results in ~ctual

harm to a beneficiary's interest. Geeslin v. McElhenney, 788

S.W.2d 683 (Tex.App.-Austin 1990); Lee v. Lee, 47 S.W.3d 767

(Tex.App.-Houston [14th Dist.] 2001.

Wherefore, premises considered, Movant prays that after this

Court orders the Respondent to perform a full accounting of

the estate, pursuant to Movant's motion demanding such filed

on the same date as this motion, as well as an inventory of

current estate property, that she be dismissed as serving as

executrix of this estate, based on the foregoing acts

as decribed· herein.

f Movant also prays that this Court appoint a new executor or

executrix if it is necessary to finalizing the remaining estate

business and closingthe estate. The Court will have to appoint

a court-appointed executor or executrix, as Movant does not

know of any person willing to serve in this capacity. /

9
Moreover, Movant prays for the Court to order the Respondent

to repay, through her own funds or through a claim filed with

her executrix bondinq company, Lexon: tT.exas) _ .. Insurance corn-

pany, See exhibit~, the $5,000 commission the Respondent should

not have been paid, as well as the actual or appraised costs

of any other property mismanaged or embezzled.

Movant further prays for this Court to order the remaining
funds, if any, in First State Bank Checking account No. 203424

to be transferred into the Court's registry for safekeeping .

.Lastly, Movant prays for any other relief to which he may

be entitled.

Kenneth Webb
TDCJ-CID No. 1454974
McConnell Unit
3001 s. Emily Dr.
Beeville, Texas 78102
ph •. 361.362.2300

Movant pro se

10
l

VERIFICATION
Pu~suant to Texas Civil Practices and Remedies Code, Section

132.001 I Kenneth Glenn Webb, TDCJ-CID No. 1454974,

beinq presently incarcerated in the TDCJ-CID McConnell Unit

in Beeville, Bee County, Texas declare under penalty of periury

that the foreqoinq is true and
carrect.~w

Kenneth Glenn Webb
Movant pro se

CERTIFICATE OF SERVICE

I do hereby certify that a true and correct copy of

the foreqoing instrument was mailed first class u.s. mail, pos-

taqe prepaid, on this the 9th day of May, 2011 to the following:

Ms. LOU Walker
c/o Cecil Biggers
Attorney at Law
P.O. Box 342
Spearman, Texas 79081

Kenneth Glenn Webb
Movant pro se

11
CAUSE NO. CV-04982

IN THE ESTA'rE OF § IN THE

RELLIS LEON EASLEY, § 84TH JUDICIAL DISTRICT COURT

DECEASED § OF HANSFORD COUNTY, TEXAS

DECLARATION OF DECLARANT KENNETH GLENN WEBB

I Kenneth Glenn Webb, declare under penalty of perjury the
following:

II
Prior to making application for the sale of the real and
personal Homestead Properties located at 111 South Barkley,
Spearman, Texas, 79081 on September 26, 2008, I made it very
·clear to the Executrix, Lou Walke~ not to sell the properties
if there was any lien placed against these properties. She
assured me that there was no liens, and further stated that
estate attorney Cecil Biggers had clearly informed her of this
fact.

II
On or about September 2008, I was called to the McConnell
Unit Prison Law Library to have an attorney conference phone
call with Executrix Lou Walker. During the teleconference,
Ms. Walker informed me that there was someone interested in
purchasing the Homestead Properties for $20,000.00 cash. I
again asked her if there was any lien and she said, nNo 11
• I
then told her to go ahead and sell. See attached paperwork.

II
Some time later, Ms. Walker suddenly informed me that there
was a lien against the Homestead Properties. In desperation,
I immediately wrote estate attorney Cecil Biggers instructing
him to cancel the sale of the Homestead Properties. Mr. Biggers
wrote me back informing me that he would not stop the sale of
the Homestead Properties because the estate would be liable
for damages in doing so.

; ·~

41
~ ....... ,

" After finishing the sale of the Homestead Properties, Mr.
Biggers refused to give me any of the money citing the lien, yet
gave Ms. Walker $5,000.00 of the money shortly after the sale
was final.

" Mr. Biggers then informed me that he would file some paperwork
with the Court to have the lien removed so that I could receive
my inheritance, but Mr. Biggers never did.

II
After November 2010, I never heard from Mr. Biggers again,
in spite of writing him letters.

" After March 2009, I never heard from Ms. Walker again, in
spite of writing her letters.

" In October 2009 I paid Amarillo Texas attorney George Harwood
$2,500 of the remaining estate money I had been previosly given
to try to remove the lien, but Mr. Harwood took no actidn.

" In April 2011, and out of desperation, I wrote Judge Smith
asking him to allow me to proceed in Pro Se so I could resolve
the lien matter since all the attorneys did not want to or did
not know how to.

" I have been through a lot of stress trying to do the right
thing in getting my father's estate probated fairly. Many people
have taken advantage of me because of my being incarcerated.
It seems that everyone else is receiving the majority of my
father's estate except for me.

" I would also like to mention that I personally paid a man
named Jesse Browning, Spearman, Texas $1,100 of my own money
so that the Homestead Properties could be made-ready for being
sold. See attached paper work.

II
Further, Declarant saith not."

2

'~·--- I
.. ,.

cL-/:zd
Kenneth Glenn Webb
Pro Se

I, Kenneth Glenn Webb, TDCJ-CID No. 1454974, being incarcer-
ated in the TDCJ-CID McConnell Unit in Beeville, Bee County,
Texas, declare under penalty of perjury that according to my
belief, the facts stated in this inmate declaration are true
and correct.

Signed on:

fvlay 09, 2011
Kenneth Glenn Webb
Pro Se

3
/)' I ('.

1 03 PAGE 1
ESTATE OF R L EASLEY ACCOUNT 0203424
LOU WALKER, EXECUTRIX
216 MAPLE STATEMENT PERIOD
BORGER TX 79007 07/03/2009 TO OB/03/2009

MAIL STATEMENT

------------------------ C H E C K I N G S U M M A R Y ---------------------
REGULAR DDA 0203424
CHECKING BALANCE LAST STATEMENT....... 3,440.98
DEPOSITS ......•.... - . . 00
OTHER C~EDITS... . . . . . . 00
1 CHECKS............... 10.12
OTHER DE3ITS.... ... .. .00 ~
CHECKING BALANCE THIS STATEMENT....... 3,430.86
----------------------------- F E E S a M M A R Y --------------------------
TOTAL FEES IMPOSED .00
~------------------- N S F/0 V E R D R A F T S U K M A R Y -----------------
CURRENT STATEMENT NSF RETURNED ITEM CHARGES .00
CURRENT STATEMENT NSF PAID ITEM CHARGES .00
CURRENT STATEMENT OVERDRAFT CHARGES .00
CUR STMT TOTAL FEES CHARGED FOR PAYING OVERDRAFTS .00
YTD NSF RETURNED ITEM CHARGES .00
YTD NSF PAID ITEM CHARGES .00
YTD OVERDRAFT.CHARGES .00
YTD TOTAL FEES CHARGED FOR PAYING OVERDRAFTS .00

--------------------------------- C 3 E C K S --------~----------------------
DATE . . . . . . . . . CHECK NO . . . . . . . AMOUNT DATE . . . . . . . . . CHECK NO . . . . . . . AMOUNT
07/10 1648 10.12

---------------- D A I L Y B A L A N C E I N F 0 R M A T I 0 N ------------
DATE . . . . . . . BALANCE DATE . . . . . . . BALANCE DATE . . . . . . . BALANCE
07/10 3,430.86

The debit cards we use are protected by FRAUD WATCH PLUS.
If suspicious activity is noticed on your card, FRAUD
PREVENTION SERVICES will call to notify you.
~' .
I hereby request and authori;; you_ to represent me asmy Attorney in Fact and !n .
Law as related to the followillf: r c) t, ~ f- ~. ~
r /-?-{ r/2
t, !}. (_ e-j(;.s
~e ch1 E--~, (-e. ~.c T
To include any kaims and actions agains~ i · taf'pers~gency,
1. vt. 1

corporations who may appear to be related to this case.

As compensation for your seryices as Attohy, I agre o pay you as follows:
. fQ.{W, {U ~ ~ r-q itU?-{_..
~~(!r.?:? .A _ d.:.. ft-r . 1 c/. .
. I understand that ifis1ihp~ this time to spe ff the exact nature, e~tent,
and difficulty of the contemplated services and the time involved in rendering those
services. You, as my Attorney shall exert your best efforts at all times to represent my
.interests and rights.

In connection with services rendered by you as my Attorney, you shall be
compensated for addjtional services not contemplated in the above estimate at a
minimum hourly rate of$ :l&o .{)o per hour. I understand that out of pocket expenses
will be billed to me, and I agree to pay you in all events for sums actually paid by you for
investigations, preparing claims for trial, court costs, or other such expenses.

r understand that I will be billed on a regular basis for your services and I agree to
pay these bills when received, unless other arrangements are made. I further understand
thafin the e:vent my account with you is not current that you may withdraw from
representing me. (This contract is effective upon the recei .of$ .zo Yc £2h as retainer.)

Dated:

I agree to act as Attorney on the above stated basis.
---·-··---------·· __fi~J{ev ac..a£.~_C2f.__i?owa _(jf?__.i!av er___a{!_ . . ~---·-·---------~·-···---···-
-·-·--~ -.:l!:t:uac~~--------~----···-------------··-----·· -----~----···-------·--
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2009014912
PG

REVOCATION OF POWER OF ATTORNEY

KNOW ALL MEN BY THESE PRESENTS, THAT:

I, Kenneth Glenn Webb, an inhabitant of Bee County, Texas,
do hereby wholly revoke,cancel, and annul all Powers of Attorney,
in fact or otherwise, signed by me, my agent(s),parents, parens
patriae, implied in law, or by trust, voluntary or involuntary,
with or without my informed consent and knowledge, with, to and/or
for Lou Walker of 216 Maple, Borger, Hutchineon~Oourtty, r~exas•as
these revoked Powers of Attorney pertain to me, and all property,
both real and personal, obtained by me in the past,present or future.

ANYTHING NOT LISTED IS NOT~;:WAIVED BY OMISSION.

Kenneth Glenn Webb

State of Texas )
)ss:
County of Bee . ( )

On Ehis ~~, day of July, 2009, A.D., before me, the under-
signed, :a~ry Public in and for said State, personally appeared
Kenneth Glenn WebbJ known to me (or proved to me on the basis of
satisfactory evidence) to be the person(s) whose name subset~b~d~to
the within instrument, an acknowledged to me that he executed it.

Witness my ha~d and ~~~ Seal:
~~~~--~~~~------------~
y ~ublic
My Commission Expires
·-\..., ".\""' N'"\
li~\L/\uv- _
01
-U -l:l~\---'"'--\--\------'1--
-:!:\) 0 T .t:K:> ~ \Ll S"\ .O-concerned these funds may have been embezzled.

f. After Novemebr 04, 200 Bigg~rs has ceased all ~ommunication
with Movant and the Court has failed to perform any work in re-
gard to resolving the remaining issues of the estate. Biggers
has refused to ieply to Movant's letters.

g. After MaTch 13, 2009 Bigger's failed to inform this Court
and Movant that the Executrix, on her own accord, has stopped
serving as executrix of the estate. The Executrix has failed
to reply to a single· letter that Movant has written to her about
the estate, including letters about the disposition of the estate~

remaining property items.

~ WHEREFORE, PREMISES CONSIDERED, Movant prays for this Court to k

order Biggers to account for and transfer the $13,232~54 of estate
money that it allegedly in his attorney trust fund account in
to this Court's registry until a·ruling by this Court is made
~on the validity of the child support lien.x

Movant also prays that this Court, based on the foregoing
facts, immediately dismiss Biggers Court appointment as an attorney
of record for the estate of Rellis Leon Easley.

Lastly, Movant prays for any other relief in which he may be
entitled.

3

3-/
Kenneth Glenn Webb
TDCJ-CID No. 1454974
McConnell Unit
3001 South Emily Drive
Beeville, Texas 78102

Movant Pro Se

VERIFICATION

Pursuant to Texas Civil Practices and Remedies Code, Sec~

132.001 132.003, I Kenneth Glenn Webb, TDCJ-cro No. 1454974,
being presently incarcerated in the TDCJ-CID McConnell Unit in
Beeville, Bee County, Texas declare under penalty of perjury
that the foregoing is true and correct.

Date:

May 09, 2011
Kenneth Glenn Webb
Movant Pro Se

CERTIFICATE OF SERVICE

I do hereby certify that a true and correct copy of the fore-
going instrument was mailed First Class u.s. Mail, postage paid,
on this the 9th day of May, 2011 to the following:

Cecil Biggers
Attorney at Law
P.O. Box 342 ·.
Spearman, Texas 79081

Kenneth Glenn Webb
Movant Pro Se

4
Law Office of
CECIL R. BIGGERS
P.O.BOX342
SPEARMAN, TEXAS 79081

Telephone: 806-659-5531 Paralegal: Yvette Hopper
Telecopier: 806-659-5531 e-mail: biggerslaw2@ptsi.net

November 4, 2010

Mr. Kenneth Webb
1454974
3001 Emily Dr.
Beeville, TX 78102

Re: Estate of R.L. Easley, Hansford County, Spearman, Texas

Dear Mr. Webb:

We have drafted a Declaratory Judgment action to have the 84th Judicial District
Court rule on the validity of the child support lien. I have previously contacted your
Amarillo attorney on several occasions and will send him a copy of the proposed action for
his comment prior to filing with the court

You have previously been provided with copies of the ac:c:C?RI'l~. W~~~J!J,b~ p~ying
the relll~!!m8:~1~1Iffinq~s]foirCmy~lrusfaccounfint~'fn~~fiigistry of the cou,rt_~<>r . .
disDursernent according to the ordefofthe court The amount of the funds to be tendered .
into·the·reglstryls'$T3;23"2~54':''--·...... ,,.~..,,.,...".

Since the 84th Judicial District Court still has jurisdiction over the estate by transfer
from the County Court; we will file the paperwork to close the estate as soon as we have a
ruling on the Declaratory Judgment action.

We will provide you with file stamped copies of the paperwork.

CRB:crb
Law Office Of
CECIL R. BIGGERS
P.O. BOX342
Spearman, Texas 79081

Telephone: 806.659.5531 Paralegal: Yvette Hopper
Telecopier: 806.659.5531
E-Mail: biggerslaw2@ptsi.net

June 12, 2008

Mr. Kenneth Webb #1454974
McConnel Unit
3001 S. Emily Dr.
Beeville, TX 78102

Re: Estate of R.L. Easley, Deceased; Hansford County, Texas

Dear Mr. Webb:

Pursuant to your letter dated May 28, 2008, enclosed please find the following in
regards to the estate ofMr. Easley.

1) 1099-Misc Income form from SNW Operating Company (showing
total monies paid. for 2007);
2) 1099-Misc. Income Form from Cavallo Energy (showing total
monies paid for 2007);
3) 1099-Misc. Income form from Linn Operating, Inc. (showing total
mo'nies paid for 2007);
4) 1099-Misc Income Form from DCP Midstream (showing total
monies paid for 2007);
5) Direct deposit form from DCP Midstream; and .
6) 1099-Misc. Income form from Valero Marketing & Supply Co.
(showing total monies paid for 2007).

All of the enclosed royalties have been transferred to you.

Most oil companies will not issue a check or make a deposit to your bank account
until the payment is at least $100.00 or if it is less than $100.00 for the year they will
make a check or deposit once a year.

So far, it appears that the lands that the royalties are coming off of you do not own
an interest in. If you owned an interest in the land you would have to pay property taxes
in each county that the land is located in.

/ ~---·-

i..;

51
--
.!
:: \.· lf
\'i.~
.. , "'
Law Office Of \-,.1

CECIL R. BIGGERS
P.O. BOX342
Spearman, Texas 79081

Telephone: 806.659.5531 Paralegal: Yvette Hopper
Telecopier: 806.659.5531
E-Mail: biggerslaw2@ptsi.net

July 24, 2008

Mr. Kenneth Webb #1454974
McConnel Unit
3001 S. Emily Dr.
Beeville, TX 781 02

Re: Estate ofR.L. Easley, Deceased; Hansford County, Texas

Dear Mr. Webb:

In response to your letter dated June 30, 2008, wherein you questioned if royalties
be deposited into your bank account in Borger, Texas. Ms. Walker has setup with all of
the oil companies when disbursement of royalties is made the funds will be deposited into
your bank account in Borger, Texas.

In response to your question ofwhy Ms. Walker's name is on the division orders,
Ms. Walker is signing your name by her as Power of Attorney. The documents will
reflect Lou Walker as Power of Attorney for Kenneth Webb.

The estate has been open for 10 months as of July 19, 2008. The estate is still
open in order to sell the real property of the estate. As soon as the real property is sold
and Ms. Walker has concluded any other remaining business of the estate, we will close
the estate.

In response to your request for an accounting I will ask Ms. Walker to forward to
you a copy of the estate bank account along with the photocopies of the checks issued by
her on behalf of the estate.
Thank you for your cooperation in this matter. If you should have any questions
please do not hesitate to contact me.

Sincerely yours,

Yvette L. Hopper
Paralegal

YLH:yh
Enclosures

Cc: Ms. Lou Walker
Law Office of
CECIL R. BIGGERS
P.O. Box 342
Speannan, Texas 79081

Telephone: 806-659-5531 Paralegal: Yvette Hopper
Telecopier: 806-659-5531

September 26, 2008

Mr. Kenneth Webb #1454974
McConnel Unit
3001 S. Emily Dr.
Beeville, TX 78102

Re: Cause No. PR0-2514; Estate ofRellis Leon Easley, Deceased; Hansford County
Court, Spearman, Texas

Dear Mr. Webb:

As Ms. Walker has informed you, she has received an offer of sale on the real
property located in Spearman, Texas.

In order to proceed with the sale, Ms. Walker must file an Application for Sale of
Real Property and Application for Sale of Personal Property (mobile home elected as
personal property on title); with the Court and you must be served with a citation or file a
Waiver ofService ofthe filing ofthe application of sale.

Enclosed please find copies of the applications for sale that have been filed with
the Hansford County Court.

Also, enclosed please find two (2) Waivers of Service, one for each application.

In order for the sale to proceed we will need you to sign both waivers and return
the executed waivers to me for filing with the Court.

Once the signed waivers are received back and the expiration often (10) days
from the date of filing the applications for sale has expired; the Judge will consider the
applications and if meets to his approval sign an Order of Sale. After the Order of Sale is
signed then Ms. Walker can proceed with sale of the property.
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~'"'I
Law Office Of
CECIL R. BIGGERS
P.O. BOX342
Spearman, Texas 79081

Telephone: 806.659.5531 Paralegal: Yvette Hopper
Telecopier: 806.659.5531
E-Mail: bi~gerslaw2@ptsi.net

January 9, 2009

Mr. Kenneth G. Webb
TDCJ #1454974
3001 S. Emily Drive
Beeville, TX 781 02
Re: Estate of .R.L. Easiey, Decea-sed

Dear Mr. Webb:

Enclosed please find a copy of the child support lien filed on May 28, 2003. Also
enclosed is a copy of the title insurance commitment on the sale of real estate.

As you know, I represent the Estate ofR.L. Easley, Deceased.

Your interpretation of Texas law is misplaced. An heir to an estate receives
"title" to the property of the estate upon the decedent's death; however, that property is
received subject to all claims and liens. A child-support lien does not "expire" after four
(4) years. A further problem is that mineral interests (including royalty interests) are
subject to such a lien.

In this instance, the sale will proceed as the Court has approved the sale and the
estate is bound by contract. If we were to cancel the contract, the estate would be liable
for damages.

The proceeds of sale will be deposited in a trust account to be held until we can
best clear this lien either by payment, negotiation, or court order.

We will keep you informed as this matter progresses.

-··
CRB:yh
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kilWOUiillJ Of
~ft:H~fifl•
t;:!#t!rJ.. fl!
P.O. Box 342
Spearman, Texas 79081

Telephone: 806.659.5531 Paralegal: Yvette Hopper
Telecopier: 806.659.5531
E-Mail: biggerslaw2@ptsi.net

January 29, 2009

Mr. Kenneth G. Webb
TDCJ # 1454974
McConnell Unit
~001 S. Emily Drive
Beeville, Texas 78102

Re: Estate of R.L. Easley; Child Support Lien

Dear Mr. Webb:

I have received the copy of the letter you sent to the
Hansford County and Moore County Clerks. Please understand
that this letter does not accomplish anything and that the
clerks merely forward a copy of the letter to me. Any
motion that you file will be disregarded. When you file a
"motion" that motion must be set for hearing with the court
and a ruling obtained thereon. While you are serving a
sentence, you cannot attend a hearing.
In your letter you reference Family Code Section
157.005. This section refers to the time to enforce a
child support arrearage by contempt (motion for
enforcement). It is not a general statute of limitations!
The matter we are dealing with is a Child Support Lien
which is ba$ed on a Judgment for child support arrearage.
If you research Judgments, they are enforceable for ten
years, and may be renewed in ten year increments by filing
a writ of execution within the ten year period.
The death of the person owing the child support and
the death of the person to whom the support should be paid
does not extinguish the lien. The lien continues for the
benefit of adult "children".
!'Laches" only applies after the passage of a period of
time (usually 'long') and is applied on a "case by case"

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WHEREFORE, PREMISES CONSIDERED, Movant prays for the following:

relief:

1. That this Court enter a judgment declaring that the 2003

Moore County child support lien placed against the personal

and real non exempt property of the Estate of Rellis Leon Easley

is invalid or unenforceable under clearly established Texas

Law.

2. That this Court order that a check payable to Kenneth

Glenn Webb for all Estate cash balances currently held in this
Court's registry, in attorney Cecil Biggers trust account, and

or at First State Bank in Spearman, Texas be mailed to Movant

in care of Movant's sister. Movant's sister's address info-

rmation is:
Mr. Kenneth Glenn Webb
C/O Jaquita Alonzo
401 South Manhattan
Amarillo, Texas 79104
ph. 806•373.6339

3. That, in the interests of justice, this court enter a

counter-claim judgment against the Estate: of Audrey Stinnett

for $44,707.50 that was originally seized from the Decedant's

Estate in 2003 because of the Moore County faulty judgment and

unenforcable or invalid child support lien.

4. That this Court order any other relief to which Movant

may be entitled.

11 -
'
C:)·:· ~
.. ; -~ Lou Walker, Administratrix With Will Annexed of the Estate of Rellis Leon Easley,
.'·,
. -~
Deceased, reports the following:

I. The Order of Sale of Personal Property in this Estate is dated November 12, 2008.

2. A full description of the property sold is as follows:

Description: 14.0 X 72.0 Lancer Single Wide Mobile Home; Label No.
DLS0035321; Serial No. 3FR14780729

3. The property was sold at a private sale on January 23, 2009, at Spearman, Texas.

.. .; 4. The name of the purchasers are Pedro S. Sanchez and Esther G. Sanchez. .

5. The total sales price of the real property and personal property sold was $20,000.00,

less estimated costs and expenses of sale in the sum of $1, 767.66, leaving a net sales price of

$18,232.34.

6. This sale was made for cash as specified in the contract, a copy of which is attached

as Exhibit "A".

7. The purchaser is ready to comply with the Order of Sale of Personal Property.

Respectfully submitted,

.. .. ~. .. . .
. ..
c#.: Waet12A £J ecufQI(_
ou Walker, Executrix of the Estate of Rellis Leon

w•~,..~••wtexas
COPY
f2b
,/Cecil R. Biggers
Attorney for Lou Walker
State Bar No.: 02308500
P.O. Box 342
Speannan, TX 79081
Telephone: (806) 659-5531
Facsimile: (806) 659-5531

STATE OF TEXAS §

COUNTY OF HANSFORD §

BEFORE ME, the undersigned authority, on this day personally appeared Lou Walker, the
duly appointed, qualified, and acting Executrix ofthe Estate ofRellis Leon Easley, Deceased, having
been duly sworn, states that the foregoing Report of Sale of Real Property is true and correct in every
respect.

~~ ·"~
SUBSCRIBED AND SWORN TO BEFORE ME BY Lou Walker, on this th~dayof
~· 2009, to certify which witness my hand and seal of office.

VVElTE L HOPPER
.,c State of Texas
Notary Publ · ·
My Commiasion Expires
MOIOI\ l 9, 2012

17-/
No. PR0-2514

IN THE ESTATE OF § IN THE COUNTY COURT
§
RELLIS LEON EASLEY, § OF
§
DECEASED § HANSFORD COUNTY, TEXAS

DECREECONHRN.UNGSALEOFREALPROPERTY

On this day the Court heard and considered the Report of Sale of Real Property of the

following property:

All of Lot 4 and the N/2 of Lot 5, Block 49, Original Town of Spearman, Hansford
County, Texas, commonly known as 111 S. Barkley, Spe~an, Texas 79081.

The Court finds that at least five {5) days have expired since the filing ofthe Report of Sale; that the

general bond is sufficient to protect the Estate ~dis in compliance with this Court's previous Order,

of Sale of Real Property and with the law; and that the real property has been sold for a fair price and

such sale was properly made and in conformity with the law.

IT IS ORDERED and DECREED that the sale described in the Report of Sale is hereby

APPROVED and CONFIRMED and conveyance ofthe property is authorized upon compliance by

the Purchaser with the terms of sale, which sale is to be for cash.

SIGNED this :J.rz rf. day of~ , 2009.

liled at / ~ o'docki M.J~l..3_A.O., zJ) ~
---- ;,sm •Vera, Co/DiSt Court OPik

t Vol. .51 Pg. ?fa_
No. PR0-2514

.IN THE ESTATE OF § IN THE COUNTY COURT
§
RELLIS LEON EASLEY, § OF
§
DECEASED § HANSFORD COUNTY, TEXAS

APPLICATION FOR SALE OF PERSONAL PROPERTY
UNDER SECTION 334 OF THE PROBATE CODE

TO THE HONORABLE JUDGE OF SAID COURT:

Lou Walker, Executrix With Will Annexed of the Estate ofRellis Leon Easley, Deceased,

and Applicant herein, furnishes the following infonnation to the Court:

1. The Inventory, Appraisement, and List of Claims of this Estate has been filed, and

approved by this Court.

2. A full legal description of the personal property sought to be so1d is as follows:

Description: 14.0 X 72.0 Lancer Single Wide Mobile Home; Label No.
DLS0035321; Serial No. 3FR14780729 located at 111 S. Barkley, Spearman,
Texas.

3. A statement, verified by affidavit, showing fully in detail the condition of the Estate,

the charges and claims that have been approved or established by suit or that have been rejected and

may yet be established, the amount of each claim, the property of the Estate remaining on hand and

liable for the payment of such claims, and all other facts tending to show the necessity and

advisability of this proposed sale, is attached to this Application, designated as Exhibit "A," and

made a part hereof for all purposes.

4. It is necessary and advisable to sell the Estate's interest in the aforementioned property

for the following reason:

. 'I~ .ft .()(14.! Benefi~ wishes for property to be sold and proceeds of sale tobe
fded ii""
__ o'doCKf!'~r.;I-~~ ... AD., 20~0 . . .
Kim V. Vera, Co/Oist Court Oerk

By~Gu~ ,Deoutv
1~-1
distributed.

5. . It will be in the best interest of the Estate for the said property to be sold at a private

sale for cash.

6. The property to be sold is not the kind of property required to be sold under Section

333 of the Texas Probate Code, nor is it exempt property, nor is it in the class of specific legacies.

Applicant requests that citation be issued to all persons interested in the Estate, as required by

law, and that, upon a hearing on this Application, the Court enter an Order authorizing Applicant to

sell the Estate's interest in the aforementioned property described in paragraph 2 above at a private

sale for cash, and such other orders as the Court may deem proper.

Respectfully submitted,

er
xecutrix With Will Annexed of the Estate ofRellis
Leon Easley, Deceased

Cecil R. Bi rs
Attorney for Lou Walker
State Bar No.: 02308500
P.O. Box 342
Speannan, TX 79081
Telephone: (806) 659-5531
Facsimile: (806) 659-5531

Vol. _51 Pg. ~
---·,,···--------
· ~.Jol. SJ_ Pg.&

STATE OF TEXAS §

COUNTY OF HANSFORD §

WElTE t. HOppll
Public. State Of,__
Notarv mission Ellpires
MyCom 2012
No. PR0-2514

IN THE ESTATE OF § IN THE COUNTY COURT
§
RELLIS LEON EASLEY, § OF
§
DECEASED § HANSFORD COUNTY, TEXAS

ORDER OF SALE OF PERSONAL PROPERTY

On this@ay o~. , 2008, the Application For Sale ofPersonal Property filed byi.cm

Walker, Administratrix With Will Annexed ofthe Estate ofRellis Leon Easley, Deceased, was heard

and considered by the Court and after hearing the evidence in support of the Application, the Court

findS that citation has been issued and served as required by law; that the Application is accompanied

by an exhibit, verified by affidavit, showing the condition of the Estate, and the Application and·

Exhibit meet all requirements of law; that the following person~ property is to be sold:

Description:· 14.0 X 72.0 Lancer Single Wide Mobile Home; Label No.
DLS0035321; Serial No. 3FR14780729

that the property to be sold does not include exempt property or specific legacies; that the general

bond is sufficient as required by law; that the Application should be granted and the sale of the said

property should be made at a private sale for cash; that it is in the best interest ofthe Estate for the

said property to be sold; and that the sale is necessary and advisable for the following reason:

( 1). Beneficiary wishes for property to be sold and proceeds of sale to be distributed.

IT IS ORDERED that the following described property:

Description: 14.0 X 72.0 Lancer Single Wide Mobile Home; Label No.
DLS0035321; Serial No. 3FR14780729

shall be sold at a private sale for cash.

IT IS FURTHER ORDERED that no additional bond shall be required at this time, and that
~

fl.- o'dock a~.1 i\-J;l . .A.o. 2( 08
. . .

Filed 1
1

Kim V. Vera, Co/Dist Court Oerk
" _ Han~d_koy~~ Texas •
Bv.~ ~ nPn,,h,
after the sale has been made, a Report of Sale shall be filed and returned in accordance with law.

SIGNED this ~~ay of 'fl.g.,- •• 1k. ,2008.

APPROVED AS TO FORM:

Cecil . B · ers
Attorney for Lou Walker
State Bar No.: 02308500
P.O. Box342
Spearman, TX 79081
Telephone: (806) 659-5531
Facsimile: (806) 659-5531

Vot._S1Pg.l.S£
p- 10

s
Attorney for Lou Walker
State Bar No.: 02308500
P.O. Box 342
Speannan, TX 79081
Telephone: (806) 659-5531
Facsimile: (806) 659-5531

STATE OF TEXAS §

COUNTY OF HANSFORD §

BEFORE ME, the undersigned authority, on this day personally appeared Lou Walker, the
duly appointed, qualified, and acting Executrix of the Estate of Rellis Leon Easley, Deceased,
having been duly sworn, states that the foregoing Application for Sale of Personal Property is true
and correct i~ every respect.

~IV\ -'SUBSCRIBED AND SWORN TO BEFORE ME BY Lou Walker, on this th~day of
~· 2009, to certify which witness my hand and seal of office.

VE11E l HOPPER
'{ blic State ot Te>taS
NotarvCPu mi~sion E>tpires
My om ,
MOI.Oh 19, 2016
'
Voi.~Pg.~
No. PR0-2514

IN THE ESTATE OF § IN THE COUNTY COURT
§
RELLIS LEON EASLEY, § OF
§
DECEASED § HANSFORD COUNTY, TEXAS

DECREECONmRNUNGSALEOFPERSONALPROPERTY

On this day the Court heard and considered the Report of Sale of Personal Property of the

following property:

Description: 14.0 X 72.0 Lancer Single Wide Mobile Home; Label No.
DLS0035321; Serial No. 3FR14780729

and the Court finds that at least five (5) days have expired since the filing of the Report of Sale; that

the general bond is sufficient to protect the Estate and is in compliance with this Court's previous

Order of Sale of Personal Property and with the law; and that the personal property has been sold for

a fair price and such sale was properly made and in conformity with the law.

IT IS ORDERED and DECREED that the sale described in the Report of Sale is hereby

APPROVED and CONFIRMED and conveyance ofthe property is-authorized upon compliance by

the Purchaser with the terms of sale, which sale is to be for cash.

SIGNEDthi~?"rt dayof'J;.,...}- , 2009.

J o.-.. ../
ORIGINAL
t5s
Vol. No. PR0-2514

IN THE ESTATE OF § IN THE COUNTY COURT
§
RELLIS LEON EASLEY, § OF
§
DECEASED § HANSFORD COUNTY, TEXAS

INVENTORY, APPRAISEMENT AND LIST OF CLAIMS

Date of Death: March 9, 2007

Th~ following is a full, true, and complete Inventory and Appraisement of all real property

situated in the State ofTexas and of all personal property wherever situated, together with a List of

Claims due and owing to this Estate as of the date of death, which have come to the possession or

knowledge of the undersigned. ·

INVENTORY AND APPRAISEMENT

PROPERTY VALUE

1. REAL PROPERTY:

Parcel#l
LEGAL DESCRIPTION:
All·ofLot4 and the N/2 of Lot 5, Block 49, Original Town of Spearman,
Hansford County, Texas, commonly known as 111 S. Barkley, Spearman,
Texas
Total value of asset: $8,313.00
$8,313.00

2. HOUSEHOLD FURNISHINGS:

Total value: $2,500.00 Rled atlf1.9o'dockti M., \ \-9 A.D., 20b'J
Kim V. Vfla, Co/Dist Court Oesk $2,500.00
Hansfo~County, Texas
3. MOTOR VEHICLES:
By (1,._wu_~,Depu~
Vehicle #1
Description: Javelin Bass Boat ·
VIN#: 389FS
\
,
' . '
€r:,t..~/b:t:l \\fP." P· 2.(

Total value of asset: $7,800.00
$7,800.00

Vehicle #2
Description: 1990 Cadillac Sedan deVille
VIN #: 1G6CD5336L4372236
Total value of asset: $2,850.00
$2,850.00

Vehicle#3
Description: 1996 Chevrolet 4x4 pickup
VIN #: 1GCEK19R9TE257348
Total value of asset: $8,500.00
$8,500.00.

4. CASH 1N BANKS:

Account #1
Institution: First State Bank
Account type: .checking
Account/CO No: 0203424
Total value of asset: $1,298.45
$1,298.45

5. MISCELLANEOUS:

Item#l
Oil and Gas royalties
Total value of asset: $5,000.00
$5,000.00

TOTAL COMMUNITY PROPERTY $36,261.45

LIST OF CLAIMS OWED TO ESTATE

No claims are due and owing to the Estate ofRellis Leon Easley, Deceased.

TOTAL VALUE OF ESTATE

The total value,.ofthe Estate ofRellis Leon Easley, Deceased is $36,261.45.

The Independent Executrix asks the Court that foregoing Inventory, Appraisement and List of

Claims be approved and entered of record.

Vol. ss:Pg.lo8·?
>::': :-"'
•.) ..... . .,
I, "'.

Vol. ss:Pg.~~

u · alker
II)~ependent Executrix of the Estate of Rellis Leon
Easley, Deceased

Cecil R. Biggers
Attorney for Lou Walker
State Bar No.: 02308500
P.O. Box342
Speannan, TX 79081
Telephone: (806) 659-5531
Facsimile: (806) 659-5531

STATE OF TEXAS §

COUNTY OF JM.NSFORD §

I, Lou Walker, having been duly sworn, hereby state on oath that the said Inventory and List
of Claims are a true and complete statement of property and claims of the estate that have come to
my knowledge.

uWalker
Independent Executrix of the Estate of Rellis Leon
Easley, Deceased

SWORN TO AND SUBSCRIBED BEFORE ME on this the
2007 by Lou Walker, to certifY which witness my hand and seal of office.
g_ day of~~~.

YVETrE L HOPPER
MY COMMISSION EXPIRES
March 19, 2008

/3lf
A
"6~" cr"· Z? 15.~1-t:C~.:Pr

J
TO BE FILLED IN-PERSONALLY BY SELLER OR BORROWER WITH HIS OWN PE~
INDEMNI'tY AND A'FIOAVIT AS TO D!S'tS AND lii!NS ~
·~ GF# 2008-151 . ·
SUBJECT PROPERTY· AI! of LOt Number Four and the N/2 of Lot Number F1ve, Block 49,
Original Town of· Spearman GinS!Ord County, Texas, as shown by the recorded plat
thereof in Volume 25. Page· 1, Deed Re~ords of Hansford County, Texas.
STATE OF TEXAS

COUNTY OF -..:!HAN=S~F'-=0'-"'HD=------

Contractor (if new construction)
personally known to me to be the person whose namt' is subscribed hereto and upon hi$ oath depo$C$ and say$ that the marital
status or affianr hac not changed since the .:late ot acquisition of said propeny and represents to the purchaser and/or lender
in this ·transaction that to my knowledge there are:
1. No unpaid debts for plumbing fixtures, water heatets, floor furnaces, air oonditionC)rs, radio or television antennae,
caTpeting, rugs, lawn spJ·Inlcllng aystems, venetian blinds, window shades, draperies, elect1·ic appliances, fences, street
paving, or any personal property or fixtures that are loca.ted on the subject property described above, and that no &uch ·
items have been purchased on timr. payment contracts, and there are no $ecurity interestc on cucb property secured by
financing statement, security agreement or otherwise except the following: ·
Approximate Amoullt

---·---
2. No loans or liena (including F(';deral or State Liens and JPd11me11~ Uens) of any lcind on such propcnyexcept the following:

____ _....._...............,
.~~'"-ii,illiiiiiiilii"~'O'"""'R'p-a...-tlii~~·il 1i'li-l~-·aiifM
-~·-~......,;,.;.,..

_...• •_..._.~.a;M-, .......
..
lif!l!ii'! _,J y· Sll!t13A 44 3$
.;.u labor And material n~~d in the constru~tlon of Improvements on ·the a'lw"l'e described property have been paid for and
t.hcn: arc now no unpaid labor oz· mau:rial claims apinst the irnprovcmetlt$ ot the pk'operty upon whioh same arc situated.
and l hereby declare that all sums of money due foe t.be erection of improvements· have been fuUy paid and &atisficd.
INDEMNlTY: I AGREE TO PAY ON DEMAND TO THE PURCHASERS AND/OR LENDER IN TlilS nANS-
ACTl"ON, THEIR SUCCESSORS ANl) ASSIGNS, ALI. AMOUNTS SECURED BY ANY AND ALL L1ENS NOT
SHOWN ABOVE, TOOB1'Hf!R WlTfl ALL COSTS, LOSS AND A'L~rORNlW'S FEES THAT SArD PARTIES MAY
INCUR IN CONN'SCTlON ·wiTH SUCfl UNMi~N1"'ONED LIENS, PROVIDED SAID LIENS EITHER. CURRENTLY
APPLY TO SUCH PROPERTY, ()R A l•ART THBR.EOF, OR ARE SUJjSI!QUENTl. Y ESTABLISUBO AOAJNSrf SAID
PROPERTY AND AR:P. CREATED BY ME, KNOW~~ TO ME, (}R HAVE AN INCEPTION DATE PRIOR TO THE
CONSUMMATION OF THIS TRANSAC"tl"ON.
I r~lllizc that the putchaser and/t>r lender in this tr'.&nsactiouare relying on the representations contained herein in pur-
g same or lending money therton and would not purchase sttme or lend 'money therein unless said representations
de. cutaL
I
iZ ·i I

2.002..
- - County, Tcex4aa.s~:Lo..,- - - -

~~~iiifti~ifi;ij;i~~S!e:tfee :l.tems checked with red mark, sign and no~arize and return
t:o loAn closer or Ha.nsford Abstract Company.
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- ~- Cf-Q'(?,of
Law Office Of
CECIL R. BIGGERS
P.O. BOX342
Spearman, Texas 79081

Telephone: 806.659.5531 Paralegal: Yvette Hopper
Telecopier: 806.659.5531
E-Mail: biggerslaw2@ptsi.net

January 9, 2009

Mr. Kenneth G. Webb
TDCJ #1454974
300 I S. Emily Drive
Beeville, TX 78 I 02
Re: Estate of R.L. Easley, Deceased

Dear Mr. Webb:

Enclosed please find a copy ofthe child support lien filed on May 28, 2003. Also
enclosed is a copy of the title insurance commitment on the sale ofreal estate.

As you know, I represent the Estate of R.L. Easley, Deceased.

Your interpretation of Texas law is misplaced. An heir to an estate receives
"title" to the property of the estate upon the decedent's death; however, that property is
received subject to all claims and liens. A child-support lien does not "expire" after four
(4) years. A further problem is that mineral interests (including royalty interests) are
subject to such a lien.

In this instance, the sale will proceed as the Court has approved the sale and the
estate is bound by contract. If we were to cancel the contract, the estate would be liable
for damages.

The proceeds of sale will be deposited in a trust account to be held until we can
best clear this lien either by payment, negotiation, or court order.

We will keep you informed as this matter progresses.

CRB:yh
'- l
d . 1 r

Law Office of
CECIL R. BIGGERS
P.O.BOX342
SPEARMAN, TEXAS 79081

Telephone: 806-659-5531 Paralegal: Yvette Hopper
Telecopier: 806-659-5531 e-mail: biggerslaw2@ptsi.net

November 4, 201 0

Mr. Kenneth Webb
1454974
3001 Emily Dr.
Beeville, TX 78102

Re: Estate of R.L. Easley, Hansford County, Spearman, Texas

Dear Mr. Webb:

We have drafted a Declaratory Judgment action to have the 84th Judicial District
Court rule on the validity of the child support lien. I have previously contacted your
Amarillo attorney on several occasions and will send him a copy of the proposed action for
his comment prior to filing with the court.

You have previously been provided with copies of the account. We will be paying
the remaining estate funds from my trust account into the registry of the court for
disbursement according to the order of the court. The amount of the funds to be tendered
into the registry is $13,232.54.

Since the 84th Judicial District Court still has jurisdiction over the estate by transfer
from the County Court; we wiii file the paperwork to close the estate as soon as we have a
ruling on the Declaratory Judgment action.

We will provide you with file stamped copies of the paperwork.

CRB:crb
Spce~aa@rz
Clay Schnell, Executive Vice President
& Chief Financial Officer

Kenneth Webb TDC #1454974 September 22, 2014
899 FM632
Kenedy, TX 78119

Dear Mr. Webb,

I received your request for an accounting of the estate of R.L. Easley and information on
a certain account here. Banks do not provide accounting on an estate unless perhaps their trust
department is the executor and we are not the executor on this _estate. The executor on the estate
is Lou Walker and the request should be directed there. Also, I cannot release bank account
information except to the executor or upon receipt of a court order directing me to do so. The
executor should be in possession of all the data you have requested. If I receive a legal court
order to produce documentation then it will be done for our normal charges.

Sincerely,

~0_,)id2Q
Robert C. Schnell ,
Ex~el1tive Vke "Pre~ident

P. 0. BOX247 Spearman, Texas 79081 806 I 659-5565
Sl.P~~@TZ
Clay Schnell, Executive Vice President
& Chief Financial Officer

J anuary .J,....,1 , ....·?Oll

Kenneth Webb
300i S. Emily Dr.
Beeville, TX 78102

Kenneth,

Tam sorry to inform you that we are unable to r~lease any information or
transfer any funds on an estate account without the direction of the executor
or a court order. Thank you for your inquiry.

Thank you,

R. Clay Schnell

Ef.lO
P. 0. BOX247 Spearman, Texas 79081 806 I 659-5565

\ ..
Eyg 1 p.l
CAS~Ol,. ~ DOCKET BOOK REPORT PAGE ~

CMfB # CV04982 COURT: 84TH JUDICIAL DISTRICT 07 /09/20~3
CAUSE: PROBATE PROCEEDING
STYLE: ESTATE OF RELLIS LEON EASLEY VS

PLAINTIFF

NAME ATTORNEY

EASLEY,RELLIS LEON ESTATE OF p BIGGERS,CECIL R
BOX 342
BOX 342
SPEARMAN, TX. 7908~-0342

806-659-553~

DEFENDANT

NAME ATTORNEY

WALKER,LOU ON BEHALF OF D

WEBB,KENNETH GLENN D
899 FM 632
KENEDY TX 78~~9

TRANSACTIONS FOR ALL PARTIES I I THRU I I

03/~9/2009 PROBATE CASE #P025~4 ESTATE OF RELLIS LEON EASLEY
EASLEY,RELLIS LEON TRANSFERRED FROM COUNTY/JT
03/3~/2009 MAILED COPY OF ORDER TO TRANSFER TO KENNETH WEBB
EASLEY,RELLIS LEON PRISON #~454974 300~ S. EMILY DR.BEEVILLE TX 78~02

04/22/2009 HEIRS ADVISORY TO THE COURT/JT
EASLEY,RELLIS LEON
04/22/2009 HEIRS MOTION TO WITHDRAW COUNSEL FROM A CONFLICT
EASLEY,RELLIS LEON OF INTEREST & PROCEED PRO SE/JT
04/22/2009 HEIRS MOTION TO WITHDRAW EXECUTOR LOU WALKER AND
EASLEY,RELLIS LEON APPOINT HEIR KENNETH WEBB AS EXECUTOR/JT
05/~8/2009 MOTION FOR HEIR WEBB'S DEMAND FOR ACCOUNTING OF
WALKER, LOU ON BEHA ESTATE / FILED BY KENNETH WEBB/KV
06/29/2009 LETTER TO JUDGE WILSON FROM KENNETH WEBB RE:WANT
WEBB, KENNETH GLENN CASE TRANSFERED BACK TO COUNTY COURT/JT
06/29/2009 LETTER TO KENNETH WEBB FROM JUDGE BENNY WILSON/JT
EASLEY,RELLIS LEON
06/29/2009 HEIR'S REQUEST TO TRANSFER PROBATE BACK TO COUNTY
WEBB, KENNETH GLENN COURT/JT
07/~7/2009 PETITIONERS' MOTION TO HAVE HIS CASE TRANSFERED
WALKER, LOU ON BEHA BACK TO COUNTY COURT & OBJECTIONS/FAXED TO JAN/JT
07/20/2009 LETTER FROM COUNTY COURT TO KENNETH WEBB IN RE:
EASLEY,RELLIS LEON ~NFORMING HIM HIS CASE WILL STAY IN DISTR.COURT/JT
08/~7/2009 PETITIONER'S MOTION TO RECUSE TRIAL JUDGE/FILED BY
WEBB,KENNETH GLENN KENNETH WEBB/JT/FAXED MOTION TO JAN
03/~7/20~0 LETTER FROM KENNETH WEBB RE:REQUESTING COPIES OF
WEBB,KENNETH GLENN PROBATE & D.C. CASES/JT
03/~9/20~0 MAILED A LETTER TO KENNETH WEBB RE:COPIES/JT
WEBB, KENNETH GLENN
04/15/2011 LETTER FROM KENNETH WEBB / REQUESTING COPIES
WEBB,KENNETH GLENN MAILED HIM A COPY OF PLEADINGS SCREEN 4-~5-~~/KV
04/~8/2011 LETTER FROM THE COURT ATTACHED TO LETTER FROM
WEBB,KENNETH GLENN KENNETH WEBB/ JT
CAS10:J,. DOCKET BOOK REPORT PAGE 2

CASE # CV04982 COURT: 84TH JUDICIAL DISTRICT 07/09/2013
CAUSE: PROBATE PROCEEDING

05/02/2011 LETTER TO JUDGE SMITH FROM KENNETH WEBB/JT
WEBB,KENNETH GLENN
05/20/2011 MOVANT'S DEMAND FOR AN ACCOUNTING OF THE ESTATE
WEBB,KENNETH GLENN OF RELLIS LEON EASLEY, DECEASED/JT
05/20/2011 MOVANT'S MOTION TO OFFICIALLY DISMISS MOVANT'S
WEBB, KENNETH GLENN ATTORNEY OF RECORD, GEORGE HARWOOD/JT
05/20/2011 MOVANT'S MOT FOR THE COURT TO REMOVE INDEPENDENT
WEBB, KENNETH GLENN EXECUTRIX LOU WALKER FROM HER POSITION AS ........ .
05/20/2011 .... EXECUTRIX OF THE ESTATE OF RELLIS LEON EASLEY/
WEBB, KENNETH GLENN JT
05/20/2011 MOVANT'S MOTION FOR THE COURT.TO DISMISS THE
WEBB, KENNETH GLENN ESTATE'S ATTORNEY OF RECORD CECIL BIGGERS/JT
05/20/2011 MOVANT'S SUMMARY MOTION TO REMOVE INVALID OR
WEBB,KENNETH GLENN UNENFORCEABLE CHILD SUPPORT LIEN/JT
05/27/2011 MOVANT'S MOTION TO PARTICIPATE IN COURT
WEBB,KENNETH GLENN PROCEEDINGS BY TELECONFERENCE OR VIDEOCONFERENCE
lJ6/09/2011 LETTER FROM KID~TH WEBB RE:MOTION THAT ~~RE
WEBB, KENNETH GLENN FILED/JT
06/10/2011 MAILED COPIES OF FRONT OF MOTIONS TO KENNETH WEBB
WEBB, KENNETH GLENN & FAXED TO JAN/JT
07/05/2011 LETTER TO COURT FROM KENNETH WEBB/RE:MOTIONS
WEBB,KENNETH GLENN FILED
07/05/2011 LETTER TO KENNETH WEB FROM COURT RE:COURT WILL
EASLEY,RELLIS LEON CONSIDER RULING ON MOTIONS AFTER PROPER NOTICE ....
07/05/2011 .. & HEARING/COURT FAXED TO ATTORNEYS/CECIL
EASLEY,RELLIS LEON BIGGERS & GEORGE HARWOOD/JT
09/08/2011 KENNETH WEBB RE:NEW ADDRESS/TDCJ-CID/N0.1454974
WEBB,KENNETH GLENN CONNALLY UNIT/899 FM 632/KENEDY TX 78119/PHONE ....
09/08/2011 ... # 830-583-4003/JT
WEBB, KENNETH GLENN
09/13/2011 LETTER TO MS. LEWIS FROM KENNETH WEBB RE:NEW
WEBB, KENNETH GLENN ADDRESS/JT
10/31/2011 LETTER TO MR.WEBB/NO TELECONFERENCE AVAILABLE/
EASLEY,RELLIS LEON NOTICE IS HIS RESPONSIBILITY/JT
10/31/2011 LETTER TO MS.LEWIS FROM KENNETH WEBB RE:HEARING
WEBB,KENNETH GLENN ON THE MOTIONS/WANTS TELECONFERENCE/JT
12/20/2011 LETTER TO MS.VERA FROM KENNETH WEBB RE:WHAT PAPER
EASLEY,RELLIS LEON WORK DOES HE SHOULD FILE/JT
02/02/2012 LETTER TO MR WEBB RE:ADVISING HIM CAN NOT ADVISE
EASLEY,RELLIS LEON HIM OF WHAT TO FILE & FEES/JT
02/28/2012 LETTER FROM KENNETH WEBB RE:FEES FOR CITATIONS &
WEBB, KENNETH GLENN SERVICE/JT
04/02/2012 LETTER FROM KENNETH WEBB RE: 5 CITATIONS TO BE
WEBB, KENNETH GLENN ISSUED/JT
04/09/2012 ISSUED CITATION TO MS.LOU WALKERBY SERVING CECIL
WEBB, KENNETH GLENN BIGGERS ATTORNEY AT LAW/13 W.KENNETH SPEARMAN TX
04/09/2012 ISSUED CITATION TO MS.LOU WALKER BY SERVING CECIL
WEBB, KENNETH GLENN BIGGERS ATTORNEY AT LAW/13 W.KENNETH SPEARMAN TX
04/09/2012 ISSUED CITATION TO CECIL BIGGERS/13 W. KENNETH
WEBB, KENNETH GLENN SPEARMAN TX/JT
04/09/2012 ISSUED CITATION BY CERT.MAIL/DEBBIE HOLT & MIKE
WEBB,KENNETH GLENN STINNETT/306 N.MEREDETH, DUMAS TX.79029/JT
04/09/2012 ISSUED CITAITON BY CERT.MAIL/MR.GEORGE HARWOOD.
WEBB,KENNETH GLENN ATRNY/1220 S.GEORGIA ST.,SUITE E/AMARILLO TX./JT
04/09/2012 FEE FOR ISSUING 5 CITATIONS & 3 H.C. SHERIFF'S 415.00-
WEBB, KENNETH GLENN SERVICE FEE & 2 CERT. MAIL FEES
DOCKET BOOK REPORT PAGE 3

CA&'E # CV04982 COURT: 84TH JUDICIAL DISTRICT 07/09/2013
CAUSE: PROBATE PROCEEDING

04/09/2012 PAYMENT FOR ISSUING 5 CITATIONS & 3 H.C. SHERIFF'S 415.00
WEBB,KENNETH GLENN SERVICE FEE & 2 CERT. MAIL FEES
04/09/2012 FEE FOR COPIES TO BE ATTACHED TO CITATIONS 89.00-
WEBB, KENNETH GLENN
04/09/2012 PAYMENT FOR COPIES TO BE ATTACHED TO CITATIONS 89.00
WEBB,KENNETH GLENN
04/10/2012 CITATION LOU WALKER BY SERVING CECIL BIGGERS/
WEBB, KENNETH GLENN RETURNED SERVED 04.09.12/JT
04/10/2012 CITATION LOU WALKER BY SERVING CECIL BIGGERS/
WEBB,KENNETH GLENN RETURNED SERVED 04.09.12/JT
04/10/2012 CITATION CECIL BIGGERS RETURNED SERVED 04.09.12/JT
WEBB, KENNETH GLENN
04/11/2012 CERT.MAIL RECEIPT RETURNED DELIVERED 04.10.12/
WEBB, KENNETH GLENN SIGNED BY BILL STINNETT/JT
04/11/2012 CERT.MAIL RECEIPT RETURNED DELIVERED 04.10.12/
WEBB,KENNETH GLENN SIGNED BY WANDA ROGERS/JT
04/23/2012 LETTER FROM KENNETH WEBB RE:HAVE CITATIONS BEEN
WEBB, KENNETH GLENN SERVED
04/23/2012 MAILED COPY OF SCREEN 3 PAGE RE:CITATIONS
WEBB, KENNETH GLENN SERVICES/JT
04/26/2012 RESPONDENT'S ORIGINAL ANSWER/FILED BY CECIL R
WALKER, LOU ON BEHA BIGGERS FOR LOW WALKER/JT
04/26/2012 ESTATE'S ATTORNEY'S ORIGINAL ANSWER & SPECIAL
EASLEY,RELLIS LEON EXCEPTION/FILED BY CECIL BIGGERS/JT
04/26/2012 RESPONDENT'S ORIGINAL ANSWER/FILED BY CECIL R
WALKER, LOU ON BEHA BIGGERS FOR LOU WALKER/JT
04/27/2012 LETTER FROM KENNETH WEBB RE:MOTIONS & CITATIONS/JT
WEBB, KENNETH GLENN
05/07/2012 LETTER FROM KENNETH WEBB RE:COPIES OF CIT.TO BE
WEBB,KENNETH GLENN MAILED TO HIM/MAILED COPY OF BILL OF COST
05/10/2012 LETTER FROM KENNETH WEBB TO JUDGE SMITH RE:THANK
WEBB, KENNETH GLENN YOU & WANTING TO KNOW WHAT TO DO NOW/ JT
06/20/2012 LETTER FROM KENNETH WEBB: WANTING TO KNOW IF A
WEBB, KENNETH GLENN HEARING HAS BEEN SET/JT
07/02/2012 LETTER FROM COURT TO KENNETH WEBB:HEARING WILL BE
EASLEY,RELLIS LEON SET WHEN HE IS RELEASED FROM TDCJ/JT
07/02/2012 LETTER TO COURT FROM KENNETH WEBB:RE HEARING DATE/
WEBB, KENNETH GLENN JT
07/30/2012 LETTER TO JUDGE SMITH FROM ATTORNEY GEORGE N.
EASLEY,RELLIS LEON HARWOOD/HE ENDED HIS REPRESENTATION WITH MR WEBB ..
07/30/2012 ... IN MAY OF 2011/JT
EASLEY,RELLIS LEON
?fB 7 p. '1

WILLIAM D. SMITH
DISTRICT JUDGE
84TH JUDICIAL DISTRICT
HANSFORD • HUTCHINSON • OCHILTREE
P.O. DRAWER 3437
STINNETT, TX 79083
SPEARMAN COURT ADMINISTRATOR
· aos-6~?94)E?P:, • FA>c: 659-2299 JAI\I ~· LE;\r\fiS
• PERRYTON COURT REPORTER
ao64$86s2 SANDRA L QUILLEN
STINNETT COURT BAILIFF
806-878-4022 ~fAX: 878-3117 RICK GORDON

. MJ:, K:~nfieth Webb~ # 1454974 ·.
McdoniieHUnit ·. ·
30o1 South Emily Drive
Beeville,TX 78102

Re: Estate ofRellis Leon Easley
Cause No. CV04982
84th Judicial District Court, Hansford County, Texas

Mt:Webb:

The Court will consider ruling on the motions after proper notice and hearing.

Sincerely,

w~ lilil:Q I), S.n#94 J~~ge •.r~siding .
MlhJudidal District, Hansford County, Texas

WDS:jml

Cc: Kim Vera, Clerk
George Harwood
Cecil Biggers

(
\
·.

Mr. Kenneth Webb
TDCJ-CID No. 1454974
McConnell Unit
3001 s. Emily Dr.
Beeville, Texas 78102

May 9, 2011

Ms. Kim Vera
County and District Clerk
Hansford County District Clerk's Office
# 15 NW Court
Spearman, Texas 79081

RE: Motion Filings~ In the Estate of Rellis Leon Easley,
deceased, cause No. CV-04982, 84th Judicial District
Court, Hansford County, Texas

Dear Ms. Vera:

Per Judge Smith's letter dated April 15, 2011 (See attached
copy) , please find enclosed for filing and presentation to the
Court, the following Pro Se motions:
Movant's Demand for an Accounting of the Estate of Rellis
Leon Easley, Deceased~

2. Movant's Motion to Officially Dismiss Movant's Attorney
of Record, George Harwood~

3. Movant's Motion for the Court to Remove Independent Ex-
ecutrix Lou Walker from Her Position as Executrix of the
Estate of Rellis Leon Easley~

4. Movant's Motion for the Court to Dismiss Estate Attorney
of Record, Cecil Biggers~ and

5. Movant's Summary· Motion to remove Invalid or Unenforce-
able Child Support Lien.

/
Kenneth Glenn Webb,
Movant, Pro Se

tl57
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KIM VERA, Clerk HANSFORD COUNTY
County and District Courts 806 659 4110 phone
#15 N.W. Court 806 659 4168 fax
Spearman, Texas 79081

March 22, 2012

KENNETH WEBB
TDC 1454974
Connally Unit
899 FM 632
Kennedy, Texas78119

Mr. Webb:

We received your money order in the amount of$504.00 and your request for us to issue
the citations. I need to request you to send me a list of the people you want served, their
addresses and what motions you need for us to attach to the citations. I can mail your out
of county citations by certified mail but I need all the names and address of the people
you need served first, plus the motions you want attached. The fee for the out of county
service is the same as our sheriff fee, $75.

When I receive your list I will promptly send them out by certified mail and return a copy
to you.

LAI-- ~
Kim Vera, County/District Clerk
Hans r County
WILLIAM D. SMITH
DISTRICT JUDGE
84TH JUDICIAL DISTRICT
HANSFORD • HUTC!iiNSON • OCHILTREE
P.O. DRAWER 3437
STINNETT, TX 79083
SPEARMAN COURT ADMINISTRATOR
806-659-4160 • FAX: 659-2299 JAN M. LEWIS
PERRYTON COURT REPORTER
806-435-8052 SANDRA L. QUiLLEN
STINNETT COURT BAILIFF
806-878-4022 • FAX: 878-3117 RICK GORDON
April 15, 2011

Mr. Kenneth Webb, #1454974
McConnell Unit
3001 South Emily Drive
Beeville, TX 78102

Re: Estate of Rellis Leon Easley
Cause No. CV04982
841h Judicial District Court, Hansford County, Texas

Mr. Webb:

Your letter and attachments have been filed with the Court. Copies have been forwarded to the
attorneys. You may proceed as you desire.

Sincerely,

William D. Smtth, Judge esiding
841h Judicial District, Ha sford County, Texas

WDS:jml

Cc: Kim Vera, Clerk
George Harwood
Cecil Biggers

~"8··

1
WILLIAM D. SMITH
DISTRICT JUDGE
84TH JUDICIAL DISTRICT
HANSFORD • HUTCHINSON • OCHIL TREE
P.O. DRAWER 3437
STINNETT, TX 79083
SPEARMAN COURT ADMINISTRATOR
806-659-4160 • FAX: 659-~299 JAN M. LEWIS
PERRYTON COURT REPORTER
806-435-8052 SANDRA L. QUILLEN
STINNETT COURT BAILIFF
806·878-4022 • FAX: 878·3117 RICK GORDON
October 28, 2011

Mr. Kenneth Webb, #1454974
Connally Unit
899 FM 682
Kenedy, TJ{ 78119

Re: Estate of Rellis Leon Easley
Cause No. CV04982
84111 Judicial District Court, Hansford County, Texas

Mr. Webb:

The Court has no facilities to accommodate your request for teleconference. Notice is your
responsibility. This is a civil NOT a criminal matter.

Sincerely,

WDS:jml

cc: Kim Vera, Clerk
George Harwood
Cecil Biggers

led
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/63
WILLIAM D. SMITH
DISTRICT JUDGE
84TH JUDICIAL DISTRICT
HANSFORD • HUTCHINSON • OCHILTREE
P.O. DRAWER 3437
STINNETT, TX 79083
SPEARMAN COURT ADMINISTRATOR
806-659-4160 ·FAX: 659-2299 JAN M. LEWIS
PERRYTON COURT REPORTER
806-435-8052 SANDRA L. BOYD
STINNETI COURT BAILIFF
806-878-4022 • FAX: 878-3117 RICK GORDON

June 25, 2012

Mr. Kenneth Webb, #1454974
Connally Unit
899 FM632
Kennedy, TX 78119

Re: Estate of Rellis Leon Easley
Cause No. CV04982
84111 Judicial District Court, Hansford County, Texas

Mr. Webb:

The Court will set the motions at your request when you are available to appear, following
your release from Texas Department of Criminal Justice, Institutional Division.

Sincerely,

..___:_ __
WiiJiam D. Smith, Judge Presiding
84tl' Judic-ial District, Hansford County, Texas

WDS:jml

cc: Kim Vera, Clerk
George Hruwood
Cecil Biggers
~!17I 0£3
I.

UNIT COPY T.D.C.J.-I~ ·· cTUTIONAL DIVISION 07/16/2014-216
ITS40952 .C. TIMESLIPS

WEBB,KENNETH GLENN TDC:Ol454974 SID:03927238 UNIT: CY
HOUSING/BED: 8K11 T05

~
*PRJ-REL-DATE: 10 13 2077 MAX-EXP-DATE:
*INMATE STATUS: L3 w MAX TERM: '

FLAT TIME CREDITED: 7 05 06 CALC BEGIN DATE: 02 09 2007
GOOD TIME CREDITED: 2 03 06 TDC RECEIVE DATE: 09 18 2007
BONUS TIME CREDITED: 0 00 00 GOOD TIME LOST: 577
WORK TH1E CREDITED: 2 00 21 WORK TIME LOST: 193
*TOTAL TIME CREDITED: 11 09 03

---

Source: Frix Law Library, https://www.frixlaw.com/law-library/cases/4040289. Public record. Not legal advice.
