Work Product

  • Supplemental Brief in Support of Claimant's Claim

    Claimant [Redacted] (hereinafter ‘Claimant’) restates and reincorporates Claimant’s Brief in Support of Claim hereby submits this Supplemental Brief in Support of Claim.

  • DEFENDANT’S REPLY TO PLAINTIFF’S MOTION FOR LEAVE TO FILE FIRST AMENDED COMPLAINT

    NOW COMES Defendant, by and through its attorney, Patrick A. Maizy, in reply to Plaintiff’s Motion for Leave to File First Amended Complaint, and states as follows:

  • PLAINTIFF’S REPLY TO REALTY DEFENDANTS MOTION FOR SUMMARY DISPOSITION

    May it please this Honorable Court, Attorney Patrick A. Maizy (P79503), on behalf of Plaintiff [Redacted], an individual, hereby replies to the Realty Defendants’ Motion for Summary Disposition, and states as follows:

  • PLAINTIFFS' EMERGENCY EX PARTE MOTION FOR TEMPORARY RESTRAINING ORDER

    NOW COME Plaintiffs, [Redacted] and [Redacted] , by and through their attorneys, MAIZY LAW PLLC, and CASTMORE LAW, PLLC, and submit this Emergency Ex Parte Motion for Temporary Restraining Order.

  • DEFENDANT’S BRIEF IN SUPPORT OF EMERGENCY EX PARTE MOTION TO STAY ORDER OF EVICTION

    Now comes Defendant [Redacted] by and through her attorney, Patrick Maizy, and states the following:

  • Evidence of Extreme and Outrageous Behavior

    At issue is the question of what type of action can constitute extreme and outrageous behavior. In Ledsinger v. Burmeister, 114 Mich.App. 12, 17-21, 318 N.W.2d 558 (1982), the question was address.

  • DEFENDANT'S MOTION FOR RELIEF FROM JUDGMENT

    NOW COMES Defendant, [Redacted] , by and through her attorney, Patrick Maizy (P79503), who hereby Motions this Honorable Court for Relief from the Judgment stemming from a citation which was issued on August 22, 2018:

  • Brief in Support of DEFENDANT’S MOTION TO SUPPRESS

    In the case at bar, being that at the time of the investigatory stop, reasonable suspicion did not exist, Defendant contends that any and all evidence obtained thereafter should be suppressed as fruit of the poisonous tree under extension of the exclusionary rule.

  • STOCK PURCHASE AGREEMENT

    THE PARTIES. This Stock Purchase Agreement (“Agreement”) is dated as of July 2023, and is made and entered into by and between:

  • MOTION TO DISMISS

    PLEASE TAKE NOTICE Patrick A. Maizy, Attorney at Law, as attorney for Defendant in the above-captioned cause, motions this honorable court for summary disposition of the charge related to the above-captioned case:

  • PLAINTIFFS’ COMPLAINT TO QUIET TITLE

    There is no pending or resolved civil action arising out of the same transaction or occurrence alleged in this complaint.

  • COMPLAINT

    There is no other pending or resolved civil action arising out of the transaction or occurrence alleged in the Complaint. NOW COMES the Plaintiff, [Redacted] , by and through his attorney, Patrick A. Maizy, and for her Comlpaint states as follows:

  • DEMAND FOR OUTSTANDING BALANCE AND NOTICE OF INTENT TO PURSUE LEGAL ACTION

    Dear [Redacted] , [Redacted] , and [Redacted] , Work has been completed at your behest. Payment remains outstanding in the amount of $11,726.00. To avoid litigation and further legal action, please remit payment as instructed below.

  • MEMBERSHIP INTEREST PURCHASE AGREEMENT

    THIS MEMBERSHIP INTEREST PURCHASE AGREEMENT (this “Agreement”) is executed as of July ____, 2023 (the “Effective Date”), by and between [Redacted] (the “Selling Member”), party of the first part; and [Redacted] , [Redacted] , & [Redacted], (the “Purchasers”), parties of the second part.

  • NOTICE OF LIS PENDENS

    To the Clerk of Macomb County:

    NOTICE is hereby given of the filing and commencement of an action, bearing the caption set forth above, which action is now pending and undetermined before the Circuit Court for the County of Macomb;

  • NOTICE OF HEARING

    Please take notice that the hearing of Defendant’s Motion for Leave Pursuant to MCR 2.118(A)(2) to Amend first set of Affirmative Defenses will take place on Wednesday, December 16, 2020 at 8:30 am via ZOOM.

  • Brand Licensing Agreement

    PARTIES: The Parties to this Agreement are: _________________, hereinafter ‘Licensor’, and ______________________, hereinafter ‘Licensee’.

  • DEFENDANT’S MOTION TO DISMISS

    NOW COMES Defendant [Redacted], by and through his attorney Patrick A. Maizy, and hereby moves to dismiss Count I - Malicious Destruction of Personal Property, MCL 750.377a(1)(c)(i) and Count II - Disturbing the Peace, MCL 750.170.

  • DEFENDANT’S MOTION TO MODIFY RELEASE DECISION PURSUANT TO MCR 6.106(H)(2)(b)

    NOW COMES Defendant [Redacted] , by and through her attorney Patrick A. Maizy, and hereby moves for modification of release decision, pursuant to MCR 6.106(H)(2)(b).

  • DEFENDANT'S MOTION FOR RELIEF FROM JUDGMENT (MCR 2.612)

    NOW COMES Defendant, Patrick Maizy, by and through himself, Patrick Maizy (P79503), who hereby Motions this Honorable Court for Relief From the Judgment entered on or around August 22, 2018:

  • NOTICE OF LIS PENDENS

    A lawsuit is pending in the Macomb Circuit Court, State of Michigan, between the above-listed parties involving land located in Macomb Township, Macomb County, described as follows: