Anda di halaman 1dari 3

Class action case number: TBD

1 SUPERIOR COURT OF ( STATE )


2 COUNTY

3
( YOUR NAME ), PRO SE, ) CLASS ACTION:
4 )
) NOTICE AND MOTION FOR A
5 Plaintiff, ) TEMPORARY RESTRAINING ORDER
) ( TRO ), A DECLARATION OF LACK OF
6 vs. ) STANDING OF DEFENDANTS, AND A
) MOTION TO FILE FOR A QUIET TITLE
7 ) ACTION PER USC ARTICLE III & 14TH
U.S. BANK TRUST, N.A., ACTING AS ) AMENDMENT FOR VIOLATION OF
8 TRUSTEE, XYZ FORECLOSING ) DUE PROCESS.
TRUSTEE, I-X, et al, )
9 )
Defendants. )
10 )
)
11 )
)
12 )
)
13 )
)
14

15

16 PLEASE TAKE NOTICE that on March 11, 2019 Plaintiff and his family have appeared

17 before the Court with competent jurisdiction and have filed this Notice and Motion for a Temporary
18
Restraining ( TRO ) against the above referenced Defendants pursuant to ARTICLE 3 and the
19
FOURTEENH AMENDMENT right to due process of the US Constitution and State Laws, based on
20
the following:
21

22

23 1.) Plaintiff is the OWNER in full right of certain real property located at:
24
in the city of
25
County of: ( hereinafter the “Property”).
26

27

28 -1–
NOTICE AND MOTION FOR TEMPORARY RESTRAINING ORDER
Class action case number: TBD

1 2.) On ( such and such date ) Plaintiff has received a copy of the attached letter threating to
2 sell his home by the Sheriff at Auction on ( such and such date ) .
3
3.) Plaintiff considers this to be a very real threat and therefore appears before the Court
4
to request this Temporary Restraining Order ( TRO ) against all the authors of the attached letters, as
5

6
well as any other Defendants referenced above, since we have not received any evidence from said

7 parties that they have any legal interest in our property.

8 4.) Also, State Law allows a property owner to file a lawsuit to clear the title to their
9
property pursuant to ( Law ) and allows anyone with a claim to real property to file this motion and
10
an individual and class action lawsuit before this Superior Court in order to determine who has an
11
actual interest in the above referenced real property.
12

13 5.) The Plaintiff bringing this suit would like to quiet title and will name all third parties as

14 defendants who might claim an interest in the property.


15
Therefore, based upon the arguments stated above, Plaintiff respectfully requests this
16
Honorable Court grant this ex-parte motion and Order the Temporary Restraining Order ( TRO )
17
against the above referenced Defendants as the Law favors.
18

19

20
Respectfully submitted, this the 11th day of March of 2019.
21

22

23

24

25 _______________________________________

26 ( YOUR NAME ), PRO SE.


27

28 -2–
NOTICE AND MOTION FOR TEMPORARY RESTRAINING ORDER
Class action case number: TBD

1
CERTIFICATE OF SERVICE
2

3 PLAINTIFF, Pro Se, vs ABC CORPORATION, JOHN and JANE DOES, I-X, et al,

4 I am a resident of the State of , over the age of eighteen years, and not a party to the within action.
5 My home address is:
6
On March 11, 2019, I served the following document(s) by the method indicated below:
7
NOTICE AND MOTION FOR A TEMPORARY RESTRAING ORDER ( TRO )
8
[ ] by transmitting via facsimile on this date the document(s) listed above to the facsimile numbers
9
set forth below. The transmission was completed before the close of business and was reported
10 complete and without error.

11 [ ] by placing the document(s) listed above in a sealed envelope with postage thereon fully prepaid,
in the United States mail at: addressed as set forth below. I am readily familiar with the firm's
12 practice of collection and processing of correspondence for mailing_ L am aware that on motion of
13 the party served, service is presumed invalid if the postal cancellation date on postage meter date is
more than one day after the date of deposit in this Declaration.
14
[ ] BY CM/ECF ELECTRONIC DELIVERY: In accordance with the registered case participants and
15 in accordance with the procedures set forth at the United States District Courts website
16 https://ecf.cacd.uscourts.gov.

17 [ ] by placing the document(s) listed above in a sealed envelope(s) and consigning it to an express
mail service for guaranteed delivery on the next business day following the date of consignment to
18 the address(es) set forth below. A copy of the consignment slip is attached to this proof of service.
19
(See Attached Service List)

20 I declare under penalty of perjury under the laws of the United States that the above is true and
correct.
21

22
Executed on March 11, 2019, at:

23

24

25

26

27

28 -3–
NOTICE AND MOTION FOR TEMPORARY RESTRAINING ORDER

Anda mungkin juga menyukai