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8/12/2019 The Hoge Treachery, Attachments
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@ ~ ' , S ' : ~ ; O : ~ U : T W : , . ' : : C : ~ : '~ ~ , ; A R R O L LC~~~~~II, ,
Date: 07/1712014 10:17 a.m.
WILLIAM JOHN JOSEPH HOGE vS WILLIAM M SCHMALFELDT
ORDER OF DENIAL OF PETITION FOR PEACE ORDER
- -- -. - - - - - .After the appearance of the PETITIONER, arid
Date: 07/1712014
CG-OC/PO 15(412008) Page 1
US-JONES
Case 1:14-cv-01683-ELH Document 42-1 Filed 07/22/14 Page 1 of 4
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CIVIL APPEAUREQUEST FOR TRANSCRIPT
(APPL) (TRSC)
in
SipCf's Facs .il l l ile ","umber. ifan y
To the Clerk: ~ --L !.L I
Please nole an appeal in the case referenced above. Appellant is the e:rmO~the said case.
~istrict Court cost afSIO enclosed. (Not applicable 10 Domestic Violence Appeals.)
b:YAd,,"anCe Circuit Court f i l ing fee an d surcharge"en closed : '
oDomestic Violence Case SO0Application for Expungement of Police Recolds $55 0'Other $135. (C bks wde ~ 10 Circuit C om )
oAppel lant , as an indigent) seeks a waiver of costs .
oMy claim amount exceeds 55.000 and I am enclosing a deposit of 575 for the required tianscript.)lOTE: On appeal, a transcript of the District Court proceeding is required when the clairu amount exceeds
$5,000 exclusive of interest , costs . and attorney's fees. The cost i s $3 per page for an original transcripta nd one
cop)". A deposit af575 is required when the transcript is requested. You will be hilled for the balance. The
appeal will not be forwarded until all costs. including the cost of the transcript, have heen paid in full.
Date ofTrial 1'1T
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DISTRICT COURT OF MARYLAND FOR _Cano__ II_C_ou_n_ly _atyICounty
Locatedat 101 N.CourtSI.,Westminster,MD 2J157 Case No. ;:p~S-OloI1__
William John Joseph Hoge """"A_ William M. Schmalfeldtvs.
20 Ridge Road ""- Trailer 71, 6636 Washington Blvd.
s_ Add=I.P
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HogWash!H c l g 8 w a s t t II $ B t J a c I er n a r1 t o f W . J.J.Hoge
www.hogewash.com
Snail Mail to 20 Ridge Road, Westminster, Maryland 21157
Email [email protected]
(410) 596-2854
15 July, 2014
Via CERTIFIED MAIL
Mr. William M. Schmalfeldt
Trailer 71
6636 Washington Blvd.
Elkridge, Maryland 20175
Dear Mr. Schmalfeldt:
I am aware of the settlement offer which you published on your
schmalfeldt.org website on 11 July. I do not consider it to be a serious offer. I have
not yet made a settlement offer to you because I do not believe you have
demonstrated a good faith willingness to compromise.
Given that I believe that I have both the law and the facts in my favor, I am
perfectly willing to let the case play out to an award of statutory damages against
you. Your ongoing publication of comments made by third parties who have only
heard your incomplete recitation of the facts does nothing to change my mind.
I might be willing to settle for relief other than what I've asked for in my
Complaint, .but you will need to make a reasonable and mutually beneficial offer as
a starting point for any negotiation. I am not willing to carry on any negotiation in
public. Anything further must be strictly between us, our lawyers (if either of us
hires counsel), and Judge Sullivan. No other parties should be privy to the
negotiations. No information should be published on the Internet or elsewhere.
I hope to receive a legitimate offer from you in the near future. Unless
otherwise directed by the Court, all future contact should be via U. S. Mail only. I
will quickly respond with a counteroffer.
Very truly yours,
W.J.J. Roge
Case 1:14-cv-01683-ELH Document 42-1 Filed 07/22/14 Page 4 of 4
http://www.hogewash.com/mailto:[email protected]:[email protected]://www.hogewash.com/