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Superior Court of WashingtonCounty of KING, Regional Justice Center (AUK)

In re the RESPONSE (Marriage Cause No 08-3-08617-1):

SAKHI, Mohammad John and Jane Doe & Marital Community Thereof.DOB: 06-03-1966 (John) DOB: 07-23-1979 (Jane)

Joined-Petitioner(s)

LYNNE-SAKHI [SAKHI], Rachel and John Doe & Marital Community Thereof.

Respondent(s)

No. 08-3-08617-1

Response to Petition (Marriage)(RSP)

Declaration of Modification of Petition Marital Community

Declaration of Name ChangeRachel LYNNE-SAKHI

Check box if petition is attached for:

[X] FULL ORDER FOR PROTECTION DV (Attached)

(PTORPRT)

To the Above-Named Petitioner:

I. Response

1.1 Admissions and Denials

The allegations of the petition in this matter are Admitted or Denied as follows (check only one for each paragraph):

Paragraph of the Petition

Response to Petition (RSP) WPF DR 01.0300 Mandatory (6/2008) - RCW 26.09.0300

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1.1 [ ] Admitted [X] Denied [ ] Lacks Information

1.2 [ ] Admitted [X] Denied [ ] Lacks Information

1.3 [ ] Admitted [X] Denied [ ] Lacks Information

1.4 [ ] Admitted [X] Denied [ ] Lacks Information

Reason for Denial: Don’t fix what’s NOT BROKEN.

1.5 [ ] Admitted [X] Denied [ ] Lacks Information

1.6 [ ] Admitted [X] Denied [ ] Lacks Information

Reason for Separation:

WE WERE HOWEVER, LEGALLY HARASSED, STALKED,

INTIMIDATED, BRIBED, THREATENED.

1.7 [ ] Admitted [X] Denied [ ] Lacks Information

1.8 [ ] Admitted [X] Denied [ ] Lacks Information

1.9 [ ] Admitted [X] Denied [ ] Lacks Information

1.10 [ ] Admitted [X] Denied [ ] Lacks Information

1.11 [ ] Admitted [X] Denied [ ] Lacks Information

1.12 [ ] Admitted [X] Denied [ ] Lacks Information

1.13 [ ] Admitted [X] Denied [ ] Lacks Information

1.14 [ ] Admitted [X] Denied [ ] Lacks Information

1.15 [ ] Admitted [X] Denied [ ] Lacks Information

1.16 [ ] Admitted [X] Denied [ ] Lacks Information

Each allegation of the petition that is denied, is denied for the following reasons (List separately):

1.1 Insufficiently Defended

1.2 Insufficiently Defended

1.3 Insufficiently Defended

1.4 Insufficiently Defended

1.5 Insufficiently Defended

1.6 Insufficiently Defended

Response to Petition (RSP) WPF DR 01.0300 Mandatory (6/2008) - RCW 26.09.0300

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1.7 Insufficiently Defended

1.8 Insufficiently Defended

1.9 Insufficiently Defended

1.10 Insufficiently Defended

1.11 Insufficiently Defended

1.12 Insufficiently Defended

1.13 Insufficiently Defended

1.14 Insufficiently Defended

1.15 Insufficiently Defended

1.16 Insufficiently Defended

1.2 Notice of Further Proceedings

Notice of all further proceedings in this matter should be sent to the address below:

PO BOX 1790, SEATTLE, WA 98111

1.3 Other (Notices & Notifications) Notification of Settlement pending modification of Petition for Dissolution. The Basis for Modification and settlement pending modification of Petition for Dissolution is as follows:

I. My husband has hired a Defender who is charging him $300.00 per day.

Response to Petition (RSP) WPF DR 01.0300 Mandatory (6/2008) - RCW 26.09.0300

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II. My husband has requested that I pay for his attorney fees and expenses. III. I, JANE DOE LYNNE-SAKHI am obligated to my husband as a counterpart to this

marital community. IV. I, JANE DOE LYNNE-SAKHI am responsible to my husband as a financial partner.V. I, JANE DOE LYNNE-SAKHI am responsible to practice efficiency for my partner.VI. I, JANE DOE LYNNE-SAKHI am responsible pursuant marriage vow to practice

protection against disease, injury, and disability.VII. I, JANE DOE LYNNE-SAKHI am duly responsible and held liable for the financial,

mental, physical, and spiritual success of my husband under civil law and fiancé under Islamic law.

II. Request for Relief

Full Protection Order: ADELA SALEH ZADA MOHAMMAD SAKHI

[X] There is a protection order involving the minor participants listed or mentioned under this current Petition Case as follows:

The Counterpart case number: 07-2-37246-6, Court: KENT REGIONAL JUSTICE CENTER, Participants: 3 MINORS, 2 ADULTS

The Protection Order for the Minor Participants Hospitalized for Poisoning by Criminally Insane Molester with Intent to Commit Homicide:

[X] Counterpart Attached to this response.

Full Protection Order:

[X] The court should grant the MODIFICATION & REISSUANCE of the following: [X] domestic violence petition for order for protection:

The case number: 07-2-37246-6, Court: KENT REGIONAL JUSTICE CENTER,

Participants:

ADELA MOHAMMAD SAKHI WITH ORDER PROTECTING JOHN DOE SAKHI & MINOR PARTICIPANTS (3 CHILDREN)

BASIS FOR MODIFICATION OF FULL ORDER:

ABSOLUTE RELATIVE IMPEDIMENTS

NOT LISTED. HUSBAND & WIFE ARE 1ST BLOOD RELATIVE COUSINS.

[X] Attached is the Certificate of Marriage between the parties involved in the

CIVIL COMMITMENT FOR ADELA SAKHI a party to above-entitled cause No.:

07-2-37246-6

BASIS

Response to Petition (RSP) WPF DR 01.0300 Mandatory (6/2008) - RCW 26.09.0300

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Adela SAKHI is criminally insane pursuant Statutes of Sufficient grounds and Cause for Civil Commitment under the Criminally Insane Statutes.

The following cause numbers apply to Roghul Sakhi who disguises herself as an elderly disabled, however committed

SEXUAL ASSAULT 1st DEGREE & BATTERY WITH AFORETHOUGHT INTENT.

CR0034285, 97289, CR0025802, CR0028244

Dated: Wednesday, February 18, 2009 Jane & John Doe, [SAKHI] Marital CommunitySignature of Respondent

Attorney (Under Obligations by Statutes) _ Print or Type Name

PO BOX 1791, Seattle, WA 98111 _

Response to Petition (RSP) WPF DR 01.0300 Mandatory (6/2008) - RCW 26.09.0300

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Response to Petition (RSP) WPF DR 01.0300 Mandatory (6/2008) - RCW 26.09.0300

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Case Number: 08-3-08617-1Case Title: SAKHI VS LYNNE-SAKHIDocument Title: RESPONSE OF RACHEL LYNNE SAKHI & JOHN DOE SAKHI & MARITALCOMMUNITY THEREOF RE MARRIAGEUser's Name: NROB Jan09Filed Date: 2/18/2009 1:46:16 PM

User Signed

Signed By: NROB Jan09WSBA #: EXEMPTDate: 2/18/2009 1:45:01 PM