Snyder v. Phelps et al

Filing 267

NOTICE by Fred W. Phelps, Sr, Westboro Baptist Church, Inc. re 263 Order Submission of financial information, partially under seal and partially not under seal. (Attachments: # 1 Fred Phelps Declaration, # 2 Appraisal, 1414 SW Topeka Blvd., # 3 WBC Dec., # 4 Not for Profit Corp. Annual Report, # 5 Appraisal 3701 SW 12th St.)(Katz, Jonathan) Modified on 4/2/2008 (eg, Deputy Clerk). (rec'd 4/2/08 c/s to chambers) & (rec'd Sealed Documents)

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Snyder v. Phelps et al Doc. 267 IN THE UNITED STATES DISTRICT COURT DISTRICT OF MARYLAND ­ BALTIMORE DIVISION ALBERT SNYDER, vs. Plaintiff, Case No. 1:06-cv-1389-RDB FRED W. PHELPS, SR.; SHIRLEY L. PHELPS-ROPER; REBEKAH A. PHELPS-DAVIS; and, WESTBORO BAPTIST CHURCH, INC., Defendants. SUBMISSION OF FINANCIAL INFORMATION BY DEFENDANTS IN SUPPORT OF MOTION FOR STAY PENDING APPEAL Defendants Westboro Baptist Church, Inc. (WBC) and Fred W. Phelps, following Sr., through the undersigned pending counsel, for submit per the the regarding their motion stay, orders of the Court. The declaration of Timothy B. Phelps on behalf of WBC is attached; items which are public records are included herewith; items which are submitted under seal are sent directly to the Court; all as set out in the declaration. The declaration of Fred W. Phelps is attached; items which are public records are included herewith; items which are submitted under seal are sent directly to the Court; all as set out in the declaration. Dockets.Justia.com Defendants' proposed plan is that they will preserve the status quo as to non-exempt property pending the appeal herein. Defendants do not in any way hereby waive any claim they or any other persons have to any exemption in any property, including homestead, by submitting these items as ordered by the Court. See concerning homestead in Kansas, Redmond v. Kester, 284 Kan. 209, 159 P.3d 1004 (2007); Kan. Const. Art. 15, §9; K.S.A. 602301. Respectfully submitted, MARKS & KATZ, L.L.C. J /s/ Jonathan L. Katz_______________ onathan L. Katz D.Md. Bar No. 07007 1400 Spring St., Suite 410 Silver Spring, MD 20910 (301) 495-4300 Fax: (301) 495-8815 jon@markskatz.com Attorney for Defendants Westboro Baptist Church, Inc. and Fred W. Phelps, Sr. 2 CERTIFICATE OF SERVICE I hereby certify that the foregoing filing was served on the 27th day of March, 2008, with unsealed public documents attached, as follows: By CM/ECF filing: Mr. Sean E. Summers, Esq. Mr. Craig Tod Trebilcock, Esq. A copy of this filing with the original sealed items was sent the same date only to the Court as follows: Chambers of Honorable Richard D. Bennett U.S. Courthouse ­ Chambers 5D 101 W. Lombard Street Baltimore, MD 21201 /s/ Jonathan L. Katz________________ Jonathan L. Katz 3

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