Emergency Petition To Set Aside GA

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The document appears to be an emergency petition filed by Marlon Colton to set aside a writ of possession granted to Citimortgage Inc. Colton claims Citimortgage failed to follow proper eviction procedures under Georgia code by not demanding he vacate the property in writing before filing for eviction.

Marlon Colton is requesting that the court set aside a writ of possession, which would allow Citimortgage to evict him, on the grounds that Citimortgage did not follow proper eviction procedures under Georgia law.

Marlon Colton is requesting that the honorable court set aside the writ of possession granted to the plaintiff due to the plaintiff's blatant disregard of Georgia code in this matter.

MAGISTRATE COURT OF COWETA COUNTY

STATE OF GEORGIA

CITIMORTGAGE INC.,
Plaintiff
CIVIL ACTION
v
NO: 2016CI02642
MARLON COLTON
Defendant

VERIFIED EMERGENCY PETITION TO SET ASIDE


WRIT OF POSSESSION

COMES NOW, Plaintiff Marlon Colton and files this Verified Emergency Petition to

Set Aside Writ of Possession against the listed Defendant. A Writ of Possession is scheduled to

be granted to Plaintiff after October 3, 2016. This Writ of Possession should be set aside due to

the Plaintiff failing to follow Georgia Code specifically; Plaintiff failed to demand Defendant in

writing or in person to move out before filing in court to evict.

GA Code § 44-7-50 (2015) states as follows:

(a) In all cases where a tenant holds possession of lands or tenements over and

beyond the term for which they were rented or leased to the tenant or fails to pay

the rent when it becomes due and in all cases where lands or tenements are held

and occupied by any tenant at will or sufferance, whether under contract of rent or

not, when the owner of the lands or tenements desires possession of the lands or

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tenements, the owner may, individually or by an agent, attorney in fact, or

attorney at law, demand the possession of the property so rented, leased, held, or

occupied. If the tenant refuses or fails to deliver possession when so demanded,

the owner or the agent, attorney at law, or attorney in fact of the owner may

immediately go before the judge of the superior court, the judge of the state court,

or the clerk or deputy clerk of either court, or the judge or the clerk or deputy

clerk of any other court with jurisdiction over the subject matter, or a magistrate

in the district where the land lies and make an affidavit under oath to the facts.

The affidavit may likewise be made before a notary public, subject to the same

requirements for judicial approval specified in Code Section 18-4-61, relating to

garnishment affidavits.

WHEREAS, Defendant respectfully prays this honorable Court to Set Aside the Writ of

Possession due to Plaintiffs blatant disregard of Georgia Code in this matter.

Respectfully submitted this day of , 2016.

By: ____________________________
Marlon Colton Pro Se
66 Fairhaven Drive
Newnan, GA 30263

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VERIFICATION

I, Defendant Marlon Colton, having been duly sworn, under penalty of perjury, deposes

and says that I am over the age of eighteen (18) and mentally competent to testify in this matter.

My person, my family and my property are in danger of immediate and irreparable injury, and

loss or damage will result to the applicant before the adverse party or his attorney can be heard in

opposition; and I hereby Certify, that the facts set forth regarding all matters stated in the above

paragraphs are true and correct, therefore since this is an Emergency Petition further notice

should not be required. I personally drafted and have read the foregoing pleading, the facts

stated therein are from first-hand knowledge and are true and correct to the best of my

knowledge and belief.

This day of , 2016.

By:
____________________________
Marlon Colton
66 Fairhaven Drive
Newnan, GA 30263

Subscribed and sworn to before me,


this day of , 2016.
Seal

print _______________________________

My Commission Expires: ______________

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CERTIFICATE OF SERVICE

I hereby certify that a true and correct copy of this document has been mailed regular mail and
faxed to Plaintiffs attorney Howell Hall, at their offices Shapiro, Pendergrast and Hasty on 115
Perimeter Center Parkway Suite 1000 Atlanta, GA 28216 on this _____day of _________,
2016.

By: ____________________________
Marlon Colton
66 Fairhaven Drive
Newnan, GA 30263

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