John Murphy_Response not Needed_to Motion for Reconsideration_GA Supreme Court_MurphyvMurphy

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IN THE SUPREME COURT FOR THE STATE OF GEORGIA NO. S15C0640 NANCY MICHELLE MURPHY and MILLARD FARMER, Petitioners, v. JOHN HAROLD MURPHY, Respondent. RESPONDENTS STATEMENT REGARDING MOTION FOR RECONSIDERATION OF DENIAL OF PETITION FOR CERTIORARI Taylor B. Drake Georgia Bar No. 679559 Michael W. Warner Georgia Bar No. 751362 Glover & Davis, P.A. 10 Brown Street Newnan, Georgia 30263 Telephone: (770) 683-6000 Facsimile: (770) 683-6010 Stephen E. Hudson Georgia Bar No. 374692 William R. Poplin Jr. Georgia Bar No. 584535 Kilpatrick Townsend & Stockton LLP 1100 Peachtree Street, Suite 2800 Atlanta, Georgia 30309-4528 Telephone: (404) 815-6500 Facsimile: (404) 815-6555 Counsel for Respondent John Harold Murphy

description

This limited response to a very serious pleading shows that the father and his counsel know they have nothing to worry about. Why are they so confident that they have this locked up?The Georgia Supreme Court has already ruled in their favor, with Taylor Drake and Kilpatrick Townsend's lawyer William Poplin content that the Supreme Court will not pursue the missing evidence and testimony that reveal the trial court judge's rulings are all based on fraud or some variation on fraud.The boys are still missing and we hope that the Supreme Court decides their lives are worth reviewing this case fully, and allowing their testimony in. Otherwise, it is the same thing as throwing away the key on these boys, and on many other children counting on Georgia's higher courts.Other children are being damaged and going missing due to the same foul play tactics, suppression of evidence, use of false allegations, coercion, fraud, etc., by these same child custody experts in several counties in the metro Atlanta area. Other cases have been reported involving the same attorney and law firm in Coweta County, raising the same issues. Damaged, stolen children.

Transcript of John Murphy_Response not Needed_to Motion for Reconsideration_GA Supreme Court_MurphyvMurphy

  • IN THE SUPREME COURT FOR THE STATE OF GEORGIA

    NO. S15C0640

    NANCY MICHELLE MURPHY and MILLARD FARMER,

    Petitioners,

    v.

    JOHN HAROLD MURPHY,

    Respondent.

    RESPONDENTS STATEMENT REGARDING MOTION FOR RECONSIDERATION OF DENIAL OF PETITION FOR CERTIORARI

    Taylor B. Drake Georgia Bar No. 679559 Michael W. Warner Georgia Bar No. 751362 Glover & Davis, P.A. 10 Brown Street Newnan, Georgia 30263 Telephone: (770) 683-6000 Facsimile: (770) 683-6010

    Stephen E. Hudson Georgia Bar No. 374692 William R. Poplin Jr. Georgia Bar No. 584535 Kilpatrick Townsend & Stockton LLP 1100 Peachtree Street, Suite 2800 Atlanta, Georgia 30309-4528 Telephone: (404) 815-6500 Facsimile: (404) 815-6555

    Counsel for Respondent John Harold Murphy

  • RESPONDENTS STATEMENT REGARDING MOTION FOR RECONSIDERATION OF DENIAL OF PETITION FOR CERTIORARI

    Respondent, John Harold Murphy ("Father"), respectfully submits a very

    brief statement regarding the Motion for Reconsideration of Denial of Petition for

    Certiorari filed by Nancy Michelle Murphy and Millard Farmer (MFR).

    Father vigorously denies the unsupported accusations leveled in the MFR,

    none of which warrants reconsideration (and most of which concern alleged events

    occurring long after the contempt citations at issue).1 To avoid wasting the

    resources of the Court and the parties any further, Father hereby notifies the Court

    that he does not intend to submit a detailed Response to the MFR. Of course, if the

    Court desires a full Response to the MFR or requests clarification of any of the

    issues raised therein, Father will respond accordingly as quickly as possible.

    Respectfully submitted, March 17, 2015. Taylor B. Drake Georgia Bar No. 679559 Michael W. Warner Georgia Bar No. 751362 Glover & Davis, P.A. 10 Brown Street Newnan, Georgia 30263 Telephone: (770) 683-6000 Facsimile: (770) 683-6010

    s/ William R. Poplin, Jr. Stephen E. Hudson Georgia Bar No. 374692 William R. Poplin Jr. Georgia Bar No. 584535 Kilpatrick Townsend & Stockton LLP 1100 Peachtree Street, Suite 2800 Atlanta, Georgia 30309-4528 Telephone: (404) 815-6500 Facsimile: (404) 815-6555

    Counsel for Respondent John Harold Murphy 1 Moreover, because this Court does not limit supplemental filings, Petitioners could have provided notice of any event(s) occurring after the filing of the Petition that they deemed material. They failed to do so.

  • CERTIFICATE OF SERVICE

    I hereby certify that, on this date, I served the foregoing RESPONDENTS

    STATEMENT REGARDING MOTION FOR RECONSIDERATION OF

    DENIAL OF PETITION FOR CERTIORARI upon counsel of record, by e-

    filing and by depositing a true and correct copy of same in the U.S. Mail, first-class

    postage prepaid, addressed to:

    Millard Farmer P.O. Box 1728 Atlanta, Georgia 30301-1728

    Larry King P.O. Box 1648 Jonesboro, Georgia 30237

    Elizabeth F. Harwell Guardian Ad Litem Harwell, Brown & Harwell, P.C. 12 Jackson Street Newnan, Georgia 30263

    Theresa E. Lazzaroni Hawkins Parnell Thackston & Young LLP 4000 SunTrust Plaza 303 Peachtree Street NE Atlanta, Georgia 30308-3243

    Dated: March 17, 2015.

    s/ William R. Poplin, Jr. William R. Poplin Jr. Georgia Bar No. 584535 Attorney for Respondent John Harold Murphy