Your SlideShare is downloading. ×
S. Brown service of amended complaint 7-16-2010
Upcoming SlideShare
Loading in...5
×

Thanks for flagging this SlideShare!

Oops! An error has occurred.

×
Saving this for later? Get the SlideShare app to save on your phone or tablet. Read anywhere, anytime – even offline.
Text the download link to your phone
Standard text messaging rates apply

S. Brown service of amended complaint 7-16-2010

308
views

Published on

Published in: Education

0 Comments
0 Likes
Statistics
Notes
  • Be the first to comment

  • Be the first to like this

No Downloads
Views
Total Views
308
On Slideshare
0
From Embeds
0
Number of Embeds
0
Actions
Shares
0
Downloads
0
Comments
0
Likes
0
Embeds 0
No embeds

Report content
Flagged as inappropriate Flag as inappropriate
Flag as inappropriate

Select your reason for flagging this presentation as inappropriate.

Cancel
No notes for slide

Transcript

  • 1. 4:08-cv-02753-TLW -TER Date Filed 07/16/10 Entry Number 131 Page 1 of 3 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF SOUTH CAROLINA FLORENCE DIVISION HOWARD K. STERN, as Executor of the ) Estate of Vickie Lynn Marshall, ) a/k/a Vickie Lynn Smith, ) Civil Action No. 4:08-cv-2753-TLW a/k/a Vickie Lynn Hogan, ) a/k/a Anna Nicole Smith, ) ) Plaintiff, ) ) vs. ) ) STANCIL SHELLEY, ) a/k/a Ford Shelley, ) G. BEN THOMPSON, ) GAITHER BENGENE THOMPSON, II, ) MELANIE THOMPSON, ) GINA THOMPSON SHELLEY, ) SUSAN M. BROWN, and ) THE LAW OFFICES OF SUSAN M. BROWN, P.C. ) ) Defendants. ) / ACKNOWLEDGMENT OF SERVICE AND WAIVER OF FURTHER SERVICE OF PROCESS COME NOW Susan M. Brown (“Brown”) and The Law Offices of Susan M. Brown, P.C. (the “Law Firm”), named as Defendants in the above-captioned matter, and acknowledge service of a copy of the Amended Complaint on Friday, July 16, 2010, and waive any further service of process. Brown and the Law Firm shall have through and including Friday, August 6, 2010, to answer or otherwise respond to the Amended Complaint. Brown and the Law Firm will retain all defenses or objections to the lawsuit or to the jurisdiction or venue of the court except for objections based on a defect in the summons or in the service of the summons.
  • 2. 4:08-cv-02753-TLW -TER Date Filed 07/16/10 Entry Number 131 Page 2 of 3 RESPECTFULLY SUBMITTED, /S/ JOSEPH C. WILSON, IV Carl E. Pierce, II (Fed. ID# 3062) Joseph C. Wilson, IV (Fed. ID# 5886) Pierce, Herns, Sloan, & McLeod, LLC P.O. Box 22437 Charleston, SC 29413 (843) 722-7733 (843) 722-7732 joewilson@phsm.net ATTORNEYS FOR SUSAN M. BROWN AND THE LAW OFFICES OF SUSAN M. BROWN, PC July 16, 2010 Charleston, South Carolina 2
  • 3. 4:08-cv-02753-TLW -TER Date Filed 07/16/10 Entry Number 131 Page 3 of 3 CERTIFICATE OF SERVICE I hereby certify that on July ___, 2010, I electronically filed the foregoing document with the Clerk of Court, which will automatically send notification of such filing to the following attorneys of record: L. Lin Wood Susan P. MacDonald, Esq. Nicole Jennings Wade Nelson Mullins Riley & Scarborough LLP Luke A. Lantta Beach First Center, 3rd Floor BRYAN CAVE LLP 3751 Robert M. Grissom Parkway One Atlantic Center Myrtle Beach, SC 29577 Fourteenth Floor 1201 West Peachtree Street, N.W. Attorneys for Defendant, Stancil Shelley Atlanta, Georgia 30309 Karl A. Folkens Louis Nettles FOLKENS LAW FIRM, P.A. 3326 West Palmetto Street Florence, South Carolina 29501 Attorneys for the Executor I further certify that this same day, the foregoing document was served upon the following by first class mail addressed as follows: G. Ben Thompson 3760 Waterford Drive Myrtle Beach, SC 29577 Pro se _____________________________ Joseph C. Wilson, IV Fed. ID# 5886 joewilson@phsm.net 3

×