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Domestic Relations Cover Sheet (Rey. 12/18/15) CCDR 0601. , INTHE CIRCUIT COURT OF COOK COUNTY, ILLINOIS COUNTY DEPARTMENT, DOMESTIC RELATIONS DIVISION IN RE: @ Marriage © Civic Union © Lecat Seraration G ALLocATION oF PARENTAL RESPONSIBILITIES G Visrracton (Non-Paren) O'Surrorr Qi PARENTS PEDO O65 06 cal JESSE JACKSON, JR. Noz o LENDAR/ ROOK 64 ee Dissolution and SANDRA JACKSON, ae Respondent DOMESTIC RELATIONS COVER SHEET ‘A Domestic Relations Cover Sheet shall accompany the initial pleading in all actions filed in the Domestic Rela- tions Division. The information contained herein is for administrative purposes only and shall not be introduced into evidence. Please check the box designating the eategory which best describes the action o be filed. GENERAL PROCEEDINGS ri 7) Union cols Praecipe for Legal Separation ae ge 0087 Chil Union 0088 Peemage 495) Fy Pectin Transered fam Foreign 0003 Petition for Legal Separation Jurisdiction 0006 £2 Petition for Legal Separation 0085 Petition co Register Foreign Judgment or/Alternative Dissolution 0084 Petition ro Issue Subpoena 0002 Q Petition for Declaration of Invalidity 0040 Article X 0009 Q Petition for Declaration of Invalidity otfAlternative Dissolution SUPPORT ENFORCEMENT PROCEEDINGS oo10 O 0038 O Administrative Declaration of Parentage Dissolution 0034 Parentage (IV-D) 0014 Q Petition for ae of Parental Cs ee crane en Respon: 0036 GQ UIFSA 0011 Petition for: ‘Castody 0053 G1 Registration. Adiga (Hague Convention) Support Orde} (Pezate Aexy./Prp se) 0015 Petition for Visitation (non-parens) «9054 Registration af Adininistave Child 0017 © Praecipe for Dissolution ‘Support Or e100 101 e104 “This action ©) does/® does not involve a minor child or children. ‘The parties Gi have 0106 107 2 SB oy filed a divorce of CS have /@ have not fled a parentage action between them, In the evenithe partis have previously filed a prior action the action was filed on and assigned case number and initially assigned to Judge By: Le @ Aty. No: [200 F Prose 99500 Name: Bary Shtatz/ Berger Slag, UP Ary. for: Peticnor ‘Address: 161 North Clark Steet, Sue 2800 Pro Se Only: [I have read and agree to the terms of the ity/StateZip Coder Chee, Finis 6060" ~Cilers Office Electronic Notice Policy and choose to opt in to See rr gin) ese ito noc Fr tis case at this email addres: Primary Email Address: bschaz@becgerechetz.com ‘Secondary Email Address(es): cemainoliee@bergerschatzcom (E CIRCUIT COURT OF COOK COUNTY, ILLINOIS Page 1 oF DOROTHY BROWN, CLERK OF Stato of iNinois ORIGINAL liols Department of Public Health STATE OFILLINOIS CERTIFICATE OF DISSOLUTION OF MARRIAGE, INVALIDITY OR LEGAL SEPARATION |Cook a ar ea Jesse L Jackson Jackson M SES ETT SS See ee me ar = SENT Ta CT Sandra __Lee Jackson ‘Stevens F = rea uno 1.1964 hiesg9 "oaober 2015 2 “Disouionol Wariage inerancableOterencoe 2 RS ETT FS ape ORT O82 Ox aru prt UP Hc a ha A MY TOR COURT GER OMT 2 a a Ea SRR | te | [ee] coe —e See faite ~O LT = TR DEPATENT OF RUE HEAT - OVO OTT NOTE omen Pinte aor ote State Mes soe a0 ake 20160006506 CTALENDAR/ROOK 64 TIME 00:00 Dissolution 0017 - Praecipe for Dissolution 0018 ~ Praccipe for Legal Separation (Rev, 9/23/11) CCDR 0003 IN THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS COUNTY DEPARTMENT, DOMESTIC RELATIONS DIVISION Praecipe for Summons in Suit for [Dissolution of () Legal Separation Marriage 0 Civil Union 20160006506 CALENDAR/ROOM 64 JESSE JACKSON, JR. No. TIHE 00200 DISsolUtion and Calendar SANDRA JACKSON 2 ‘Respondent 3 ral dbs = a #8 3 PRAECIPE FOR SUMMONS 2, Fe 25 5 ‘To the Honorable Clerk of the Circuit Court of Cook County: ia Please issue Summons in the above cause to the Sheriff of Cook County, Illinois, directed to the above named Respondent. Atty.CodeNoz 42030, Name: Batty Schatz / Berger Schatz, LLP ‘Atty. for: Petitioner ‘Address: 161 Nofth Clark Street, Suite 2800 City/State/Zip: Chicago, illinois 60601 ‘Telephone: (312) 782-3456 DOROTHY BROWN, CLERK OF THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS ety oe Subpoena in a Ciil Matter (Fr Testimony andlor Docements) ‘(This tor replaces CCG NOWG & CCG NONE) (Rey. 65/9) CCG 0106 —>>E>EE>E>EEe—>>—_—————————_——_ INTHE CIRCUIT COURT OF COOK COUNTY: ILLINOIS JESSE JACKSON, JR, ae Fae ate in mer LP ~ 9g SANDRAJACKSON, Tema eve SUBPOENA IN A CIVILMAUTE@DROWN (or Tetiony ane Documents) “ro; Federal Baran of rss, Atm: Litigation Deparment 320 Fist vee, NW Wastingion, DC 20594 o ‘YOU ARE COMMANDED to appear to give your testinony before the Honorable a Roow, iets TD. 2 votre comntaNDED tonpearandaive your deosion einen before aNotury Publi taRoom, A siltiison EZ 3. vou ant COMMANDED to mallthe following documents in your posession or como to_BAy Shas of Berge Seba LLP 161 Noh Cla Suet Suite 2800, Chicago, tina 60601 on or before ___Sepembe 22 ais 10.00 at am (TIIISISFOR RECORDS ONLY. THERE WILL BE NO ORAL INTERROGATORIES): SEE ATTACHED RDER (Zicseripion continued on attached pags ‘YOUR FAILURE TO RESPOND TO THIS SUBPOENA WILL SUBJECT YOUTO PUNISHMENT FOR CONTEMPT OF THIS COURT. tig to Deport: 1 The deponent ix public o private corporation, partnership, association or goveramenal agency. The matters) on wbich examina losin corned on ashe part. (copa eranation hs dty to devget on oF mor oir rectors, omg aeat rather persons ei its bea td melo for ech prion diate, the matters wh fat person il ey Sup Cl Rule 206) 2. Thedeponent einen il recorded by we ofan autos recording devi eprated : Oe these ar z naa “Rawr of Rcerling Devs Operator) 4. No ester deposition fay part or wits sal eed hee our repre the umber of pares inven the se By spon fe parse’ borer Upon thowig at pnd xe ie examination. I Syn le “Atty No, 42030 Pro Se 99800 ‘Name; Bary Schatz / Berger Sat, LLP i Issued by: Atty. for: Petitioner ‘tree 1 Ne Ga See Se Di astoray Doerr co Ccuryistaterzipe Ceo, ino 60601 sess tp peuufe Tetras arn sarerseeaETEERE fe sec 26 [served ans subpoens by mating » copy a8 required by Ii, Sup. Ct, Roles 11 and 204(}2), ty etd mai etre recip equ Rect # 1 pad thew ‘oe wines and ong ie Eads sbptnnty Eddi Feed Bare of isos, As Lian Det on__ Setanta 2 25:00 i be wey Tor witness and mileage es. Holly. Cla ‘Seanure ofSener) rin Saw) DOROTHY BROWN, CLERK OF THE CINCUIT COURT OF COOK COUNTY, ILLINOIS RIDER TO SUBPOENA TO: Federal Bureau of Prisons Attention: Litigation Department 320 First Street, NW Washington, DC 20534 NOTE: All documents requested relate to Sandra Jackson Inmate Number: Incarcerated at t! DOCUMENTS REQUESTED Copies of all emails sent and received by Sandra Jackson, from the date of her incarceration through September 7, 2016. ‘Subpoena ina Chit ater (For Testimony andor Document) (This orm replaces COG NOOE & CCG NOIS) (Rev. 672509) CCG 0106 a INTHE CIRCUIT COURT OF COOK COUNTY. ILLINOIS JESSE JACKSON JR, No, _ 15D 006506 SANDRA JACKSON, ‘SUBPOENA IN A CIVIL MATTER (For Testimony sade Documents) 180 Washingin Valley Road Bedninster, NJ OTL D1. You ane COMMANDED to appear to give your testimony before the Honcrable inReom 12. You are commanvED tosppearundive your depoitioneatimony befor Notaty Publica Coa “ -Minoisen So — = 2 ]_ 3. YouARE COMMANDED to mal he otowing documents it your possesion or conto to_Bary Scat of Berger Sci LLP a a1 151 Nor Clak Saet, Sut 2800, Chicago, nos 60601 or before Osher ——~—s=20 . 1000 m. (TiS 18 FOR RECORDS ONLY. THERE WILL BENO ORALINTERROGATORIES}: SEEATIACHED RuDeR Dern conned en tached page YOUR FAILURE TO RESPOND TO THS SUBPOENA WILL SUBIECT YOU TOP Notice o Depo 11. The deanenis patio private corparton,paiertip, aso, or governmcatl agency. The oats on which camino i requested area follows: ISHMENT FOR CONTEMPT OF THIS COURT. C1 description continaed on attached page(s). (A coapurty rgantation basa duty 10 designate one or more fies, directors, managing agents, ther persons etx Is bshal and may st forth, for eath person designate, the mater on whieh Gat person wil tify. Sap. Ci, Rule 206) Sige Ditorney Chek of Court lies Ciersatecipe Chao, Wine @ogot Telephone G12) 6 Date: Sépember 19 aie LD eres ti sbpoenn ay mations copys as required by ML Sup. CU Rates 1112 ad 204012) ty cried mal return recip requested (Recipe # * Up he wines Tor wind mien EE. tuanesisstpens ty RRS SOV Ce Panne va Vern We on_Sepeber19 nie, 1 paid the wizness 25.00 ‘for witness and mileage fees. 7 Uh. oly Car ean iawn DOROTHY BROWN, CLERK OF THE CIRCUIT COURT OF COOK COUNTY. ILLINOIS TO: Nor RIDER TO SUBPOENA Cell Co, Partnerships d/b/a Verizon Wireless 180 Washington Valley Road Bedminster, NJ 07921 INSTRUCTIONS: . The request for production of documents in this Rider covers all documents, objects or tangible things, inthe possession, control, or otherwise available to the deponent, the deponent’s agents, employees, attomeys, accountants, consultants or other representatives, . Non-Limiting Language. All requests for production which are stated in the conjunctive are to be read as if stated in the disjunctive and vice-versa (je., answer each request as if requiring an and/or response). . Copies. Complete and accurate copies will be acceptable compliance with a request for a document, unless the original document is requested. However, original documents must ‘be available for inspection and maintained for trial. . Computer Storage, All material responsive to this request stored on computer of other ‘means of data storage must be produced in printed form as well as on disc or CD. isclosure. With respect to any documents which deponent withholds or does not disclose that are responsive to this Request, or to the extent that deponent exerts @claim or privilege of non-disclosure, a statement shall be provided setting forth the statute, rule, decision or other basis which is claimed to give rise to such non-disclosure afd such statemerit(s) shall be supported by a description of the nature of the documents, objects or tangible things not produced. DEFINITIONS: |. The term “documents” shall include all physical forms of correspondence, letters, e-mails, transcripts, minutes, tapes, recordings, films, memoranda, workpapers, notes, drafts, press releases, diaries, employment records, time records, requisitions, resolutions, opinions, certificates, statements, evaluations, appraisals, studies, other analyses, ledgers, journals, pages, books or records of account, spread-sheets, contracts, other agreements, promissory notes, other instruments of indebtedness, endorsements, accounts, statements, purchase orders, receipts, invoices, shipments, records, delivery records, balance sheets, income statements, financial delivery records, financial statements, statistical records, notices, assignments, reports, valuations, evaluations, and any other writing regardless of by whom prepared or to whom addressed and regardless of whether the document is an original or a »py or whether sent or received. The term “document” shall also include all retrievable information in computer storage in printed form, as well as any other form of reporting, storing, maintaining or indexing such information, including, but not limited to, electronic storage, computer storage, shorthand notes, diagrams, magnetic cards, or other forms of storage. 2. For purposes of this Rider, the term “relating to” includes, but is not limited to, the following: conceming, consists of, refers to, reflects, evidences, displays, memorializes, shows, proves or is in any way legally, logically or factually connected with the matter set forth or referred to or has a tendency to prove or disprove the matter. 3. The term “Verizon Wireless” ot “You” or “Your” or “Yourself” means Verizon Witeless, or any of its predecessors, affiliates, successors, assignes, employees, agents, representatives, or affiliated agencies, or the directors, officers ot consultants of any corporation, partnership, or other business enterprise under its command or control. 4, Sandra Jackson. For purposes of this request * Jackson” or “Sandra” means any of the following: (a) Sandra Jackson (SSN: _— individually; (b) any agent of Sandra, anyone acting under Sandra’s control, anyone acting on Sandra's behalf, and anyone on whose behalf Sandra is acting, from January 1, 2011 to present. 5. And” as well as “or” are to be construed either disjunctively or conjunctively so as to bring within the scope of this Rider any matters which otherwise might be construed as outside its scope. 6. Whenever appropriate, the singular form of a word should additionally be interpreted in the plural and the plural form of a word should additionally be interpreted in the singular. 7. Unless otherwise stated, the relevant time period for this request is January 1, 2011 to present, , REQUESTED DOCUMENTS 1. Copies of all documents, including but not limited to, monthly billing statements, evidencing or relating to all calls and/or text messages placed to or from the telephone number oa or any other phone in the name of Sandra Jackson for the period from January 1, * to date, Said records shall include, but not be limited to, the content of all text messages sent to or from the telephone number (i) INN. any other identi sender or recipient of text messages to or from telephone number time of each call and/or text message to or from telephone number calls to or from telephone number (jl) IME. the minutes/hours for each call. 2. Anexecuted Certification of Compliance by Verizon Wireless with this Subpoena for Deposition (Records Only). 3. _ An executed Authentication by Certification by Verizon Wireless with this Subpoena for Deposition (Records Only). WITH SUB} IRMO JACKSON VERIZON WIRELSS ‘The attached Subpoens, by Illinois law, requires Jou and/or your organization to produce your records on October 10, 2016, at the offices of Barry Schatz, Berger Schatz, LLP, 161 North Clark Street, Suite 2800, Chicago, Illinois 60601. Please sigh and date this form and retum it to us with your records and a copy of this Subpoena. AFFIDAVIT OF COMPLIANCE ‘The undersigned, certifies under penalties of perjury as provided by law pursuant to Section, 1-109 of the Illinois Code of Civil Procedure Ill. Rev. Stat. Ch, 110, par. 1-109 that the statement checked below is true and correct, ‘Check One: (1 After making a diligent search of all the records in our possession of control, I certify that the only records we have on the above are submitted herewith in response to this Subpoena. 1) After making a diligent search of any and all records, I certify that there are no records to provide in response to this Subpoena. Date: Signature Print Title Print Name Attomey No. 42030 IN THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS COUNTY DEPARTMENT, DOMESTIC RELATIONS DIVISION INRE THE MARRIAGE OF ) JESSE JACKSON, JR. } Petitioner, } and ) No. 16 D 006506 SANDRA JACKSON, } Respondent. 3 AUTHENTICATION BY CERTIFICATION BY: VERIZON WIRELESS Pursuant to Illinois Rules of Evidence 803(6) and 902(11), the attached records were made at or near the time of the occurrence of the matters set forth by, of from information transmitted by, a person with knowledge of these matters; were kept in the course of the regularly conducted activity; and were made by the regularly conducted activity as a regular practice, Furthermore, pursuant to Ilinois Supreme Court Rule 236, the attached records were made in the regular course of business, and it was the regular course of the business to make such records atthe time of such an act, transaction, occurrence, or event or within a reasonable time thereatter. Pursuant to Section 8-1204 of the Illinois Code of Civil Procedure (73$ ILCS 5/8-1204) and tlinois Role of Evidence 902(11), Iam the custodian or other keeper of the following papers, entries afd records: 1. Complete copies of any and all documents requested in the rider to the Subpoena for Deposition (Records Only) served on September 20,2016 in the case of In re the Marriage of Jesse Jackson, Jr v. Sandra Jackson, Case No, 16 D 6506. Lam of sound mind, capable of making this Affidavit, and I am personally acquainted stated in this Affidavit. ith the facts Under penalties of perjury as provided by law pursuant to Section 1-109 of the Civil Procedure, the undersigned certifies thatthe statements set forth in this Affidavit are true and correct, except as to matters therein stated to be on information and belief, and as to such matters the undersigned certifies that he/she believes the same to be true. DATE: Custodian of Records (CORPORATE SEAL) “Check if no Corporate Seal exists. Title of Custodi ‘oF Records,

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