Beruflich Dokumente
Kultur Dokumente
C C G N003-150M-2/27/04 (3335092)
MARK WILK
t
NO.
10 CH 23086
June 07
, 201 1
at
9:30 AM
4.
SABASTIAN
the attached Verified Motion for Continuance w/ Affidavit in Support Pursuant to Chancery Proceedings Rule 7.2
Name
Atty. No.
99500 630-202-1798
Prose 99500
-day of
, I sewed this notice by delivering a copy personally to each person to whom it is directed.
MARK WLLK
,the attorney/non#torneyx
("strikeone)
a copy to
at
approx 4:00
on the
person certifies that the statements setforth herein are true and correct.
7010 0290 0 0 0 1 000q 2520
NOTE: If more than one person is served by delivery or mail, additional proof of service may be made by attaching an additional sheet to this Notice of Motion. DOROTHY BROWN, CLERK O F THE CIRCUIT COURT O F COOK COUNTY. ILLINOIS
IN THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS COUNTY DEPARTMENT, CHANCERY DIVISION Mark Wilk, Plaintiff,
v.
1 1 1 1 1 1 1 1
VERIFIED MOTION FOR CONTINUANCE PURSUANT TO CHANCERY PROCEEDINGS RULE 7.2 -Rules of the Circuit Court of Cook County
Plaintiff, Mark Wilk, hereby moves to continue the matters set for hearing before the Court on June 07,201 1 by the Defendant (s). In support of his motion for continuance, Plaintiff hereby states as follows:
1. On May 23,201 1, Plaintiff received by mail (postmarked 5-19-201 1) from Defendant (s) attorney the attached copy of a letter and pleadings. Attached hereto and made part hereof as Exhibit "A" is the copy of the letter, Notice and pleadings received.
2. Within Exhibit "A" is the unverified pleading entitled "PE'TITON FOR RULE TO
3. Within defendant (s) Exhibit "A" is a copy of a e-mail dated 51212011 stating "Mark milk
lives there and will not let the showings take place". On information and belief this is a
false statement, as cancellations for showing the property were made by the relator's showtime service and left as a phone voice message.
4. On February 08,20 1 1 a Order was entered by agreement of the parties that resolved their
differences and defendant (s) withdrew their pending motion.
5. Within defendant (s) Exhibit "A" is a unsigned letter dated May 11,201 1 stating
response with supporting documents and affidavit to the matter set for hearing on June 07,201 1 .
WHEREFORE, the undersigned Plaintiff needs to continue the set matter of June 07 till June 30, 201 1 to prepare and file responsive pleadings, documents and affidavits. And to provide a file stamped courtesy copy to the Court within 10 business days of the set hearing.
VERIFICATION BY CERTIPICATION
Under penalties provided by law pursuant to Section 1- 109 of the Code of Civil Procedure, the undersigned certifies that the statements set forth in this instrument are true and correct, except as matters therein stated to be on information and belief as to such matters the undersigned certifies the he verily believes the same to be true.
i
MARK WILK
Mask Wilk - Atty #: 99500 337 E. Norman Ln. Wheeling, IL. 60090-4525 630-202- 1798
IN THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS COUNTY DEPARTMENT, CHANCERY DIVISION [ark Wilk, Plaintiff,
)
1
)
1
haddeus Wilk, et al.,
) )
10 CH 23086
Defendant (s).
1 1
to either side. Defendant (s) in their letter to Mark Wilk state that they will gladly withdraw their Petition. If not then plaintiff needs sufficient time to prepare responsive pleadings to defendant (s) pending matter. On information and belief the need to grant a continuance is within the sound discretion
of the Court. Feder v. Hiera, 85 Ill. App. 3d 1001 (I" Dist. 1980). Bullstron v.
MARK WILK
VERIFICATION BY CERTlFlCATlON
Under penalties provided by law pursuant to Section 1-109 of the Code of Civil Procedure, the undersigned certifies that the statements set forth in the Affidavit are true and correct, except as matters therein stated to be on information and belief as to such matters the undersigned certifies
the he verily believes the same to be true.
MARK WILK
Mark Wilk - Atty #: 99500 3 37 E. Norman Ln. Wheeling, IL. 60090-4525 630-202-1 798
7819 W. Lawrence A*. Norridge, Tliinois 60706 Tel: (708) 453-7700 Fax: (708)453-7702
May 19,2011
I am enclosing a notice and petition for rulc to show for your failure to abide by the settlement agreement. The court date is June 7,201 1 at 9:30 am.
I will gladly withdraw if you cooperate by the wut date otherwise I will have no the fees and costs for the petition be assessed against ell as request that you be ordered to vacate the property.
Barbara Wilk
*A
201 1
.,
9 3 0 AM
WV.
J-
DALEY CENTER,
,JlWirrois, and present
ATTACHED MOTION
day of
, I served this notice by delivering a copy personally to each person to whom it is directed.
Date
,
THE UNDERSIGNED
.t
5:OOPM
day of
N O T E : If more than one person is served by delivery o r mail, additional proof of service may b Notice of Motion. DOROTHY BROWN, CLERK OF THE CIRCUIT COURT OE COGK COUNTY, ILLENOIS
MAIU( 15'ILK,
1
1
) CASE NO. I0 CH 23586
Plaintifi;
1
vs.
) consl. IOM3 0012961
1
THADDEUS WILK, BETTY L. WILK, ROBERT WILK AND fRENE WTLK
1
1
1
Defendants.
PETITlOrY FOR RULE TO SHOW CAUSE OR IN THE ALTERNATNE DEFENDANTS MOTION TO ENFORCE SETTLEMENT AGREEMENT
NOW COMES the Defendants, ThaddeusWilk, Betty Wilk and Barbara Wilk by and through their attorneys, MAGGIO & TARTAGLIA, and for their Petition for Rule to Show Cause or in the alternative to enforce the settlement agreement states as follows:
1 . On December 7,2010 the parties herein attended mediation with CCR and entered
into a mediation settlement agreement resolving the controversy pending before this court. A copy of the Mediation SeElement Agreement attached hereto and
Matthew, Jan and Jerry Doestch of Doestch Realty the redtars. Attached hereto and made a part hereof as Exhibit 'C" is an email correspondencefrom Jan
Doestch of Doestch Realty indicating that Mark Wilk, your plaintiff herein will not allow the realtors to show the property-
WHEREFORE, your Defendants, Thaddeus Wilk, Betty Wilk and Barbara Wlk,
pray that the court issue m order or a i e requiring the Plaintiff, Mark W to show cause, i k if ar,y he has, why he should n : be hdd in contempt of court aad punished for failure TO o compiy with said judgment, ;forreasonable attorney fees,and for such other and further relief as may be just.
#I2623
Thomas J. Tartaglia
MAGGIO & TARTAGLIA Attorney for Defendants 78 19 W. Lawrence Ave.
Norridge, IL 60706
708-453-7700
fi
Daie
.
j J q - / ' -D . . % .
a nd ...f&& ,
\j2~L
hp f il
I 1 Eclst AdCmS, Suite 500 * Chicago. Illinois 60603 Phone; f3 12) 922-6464 w.cc:chicogo.osg
~ h -
10
32"""
y
id
. ;(~-.t c md.
.bid
Name:
A*.
~QG
1 TARTAGUA. .
ENTER
7.
~E~l720Ui
i
t
I
7.
. .: ; .4 ..
..
% .\.
J*
\
,-..-..,...,",,. .. ---. ".*. ".-.. i FW:339 Noman ~ a ~ r g , rorn: "Cathy Foley" ecfoley60707@yairoo.com>
. ...~ ......*..
~~
-..
i
_
..__._..i--..-.
.. ..-:.. .. .
I -
Cathy Faley Paralegal for Thomas J. Tartaglia, Esq. Law Office of Maggo & Tartaglia 7819 W. Lawrence. Norridge. I 60706 L ph 708-453-7700 ~ 2 2 1 f x 708453-7702 '"NOTE
Subject: 337 Norman Lane To: "carzauto@att.net" <carzauto@att.net>, "cfoley60707@yahoo.comn ccfoley60707@yahoo.corn> Date: Monday, May 2 , 2011,4:34 PM
I
I
1
Ted Wk i l
Thomas Tartaglia
IDear Sirs,
After several attemps to have showings on 337
Please mte-my eman address has chaqed. Please update your remds.
Jan and Jerry Doetsch Koenig & Strey "GlenviewAt The Glen" 2630 Valor Drive
Glenview, 1. 60026 1
Jan Cell 847-456-98 19
'$&j&t:
Who~ihg,
i With so many propcrtics on the market-appointments are very impmbmt ta the sale of
i the property.
a
:Mark Wiik only allows appointmentswhen convenient for him--'Ody allows showings =with 2 h u u ~ notice--weekdays 'Weekendshowings by 3ppoirrtmcnt o n l y 4 him.
I
This property has r a I bcco off mark& --even though it is listed i the MuHipk listing cly n
, scNicc.
.corn
TOTAL P.001
I?=:
bpt-Cht R ~ ~ u The ncipiaofthis fit&aIlilc lray make u request rb the r d not to sendmy hmber fruirnila; s c na Ah such opt-aut re.qu=st Yhould be f w d 1s 841-510-5 1M) a d ihc rcques?mu81idcntify die relcphonc otinb~r(s] orrht fksimi le mhinc(s)to whkh the upt-our rcquesr applies. Dpr-oui requests r a y bc &xed any timc, 24 hours n day and 7 days tr wcck The -tjilorz by Lbc m & r IDcornply ~ 5 t i opr-oui rcqucst within rhe time h m c ta be detrm*cd by h m
the FCC i unlawhl, s
.1A/crc- contacted him on Monday lo make appointment to view the home and do 3ur %MA.f Ie reksed to make an ~ppoinmcnt.Trkd again t make mntact Tueday, I& a voice nuil an his cell phone. Please advise.
EECFivFD - .- .
1 I I :
i
(?,"-';q-j*'I 1
F2OW 8477294G7.5
TO-
??AGIO R TX3'PGL'IA
P@O?;Q85