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A SPECIAL SECTION: Haiti, Since the January 12, 2010 Fierce Earthquake

Posted Friday, April 9, 2010                                                                    


Commonwealth of Massachusetts

County of Middlesex

The Superior Court

CIVIL DOCKET# MICV2007-00768 RE: Laforest et al v Jean, d/b/a Town Computer et al

TO: Jacques Dady Jean, d/b/a Town Computer 26 Regis Road Mattapan, MA02126

  • DEFAULT ORDER (Mass. R. CIV. P. 55a)

  • The defendant(s) named below, having failed to plead or otherwise defend in the above referenced case as required by MRCP 12(a), is(are) hereby defaulted pursuant to MRCP 55(a):

    Default (55a) as to Counterclaim defendant(s) Jean Laforest, Michael Youte, Lucien Pierre and Organziation Development of Qonaives Hati (ODGH) Inc. Copies mailed 4/7/2010

    The plaintiff shall file:

      1. A motion for an assessment of damages and default judgment pursuant to
        Mass. R.Civ.P.55(b)2 and subject to Mass.R.Civ.P. 54(b) and 55(b)4 as amended by
        05/07/2010, or
      2. A request for Default Judgment pursuant to Mass.R.Civ.P. 55(b)1 and subject
        to Mass.R.Civ.P.54(b) and 55(b)4 as amended by 05/07/2010(contract-sum certain
        only).

    Dated at Woburn, Massachusetts this 7th day of April, 2010.

    Michael A. Sullivan, Clerk of Courts

    BY:

    Arthur DeGuglielmo Assistant Clerk

    Telephone: 781-939-2757

    Disabled individuals who need handicap accommodations should contact the Administrative Office of the Superior Court

    at (617) 788-8130

    **************************************************

    COMMONWEALTH OF MASSACHUSETTS

    MIDDLESEX, SS SUPERIOR COURT DEPARTMENT

    Docket NO: 07-0768

    JEAN LAFOREST, MICHAEL YOUTE

    LUCIEN PIERRE, and ODGH, INC.,

    Plaintiffs,

    v.

    JACQUES DADY JEAN dba Town Computer,

    And KARRIE ANN JEAN dba Town Computer,

    Defendants.

    DEFENDANT’S REQUEST FOR DEFAULT UNDER RULE 55 (A) AGAINST PLAINTIFF’S JEAN LAFOREST, MICHAEL YOUTE, LUCIEN PIERRE AND ODGH, INC.

    Now comes the Defendant’s Jacques Dady Jean and Karrie Ann Jean (herein after referred to as the Defendant’s), respectfully request, pursuant to Mass. Civil Procedures Rule 55, that a Default be entered against the Plaintiff’s, Jean Laforest, Michael Youte, Lucien Pierre and ODGH, Inc. (herein after referred to as the Plaintiff’s), for failing to answer the Counterclaim served upon them on April 17, 2007.

    An Affidavit in support of this motion is attached to this motion.

    The Defendant’s request that this Honorable Court enter a default against the Plaintiffs for failure to answer to the counterclaim served upon them.

    Submitted by: 

    _____________________________ ____________________________

    Jacques Dady Jean Karrie Ann Jean

    26 Regis Road 26 Regis Road

    Mattapan, MA 02126 Mattapan, MA 02126

    (617) 298-0357 (617) 298-0357

    Pro Se Pro Se

    ***************************************************

    COMMONWEALTH OF MASSACHUSETTS

    MIDDLESEX, SS SUPERIOR COURT DEPARTMENT

    Docket NO: 07-0768

    JEAN LAFOREST, MICHAEL YOUTE

    LUCIEN PIERRE, and ODGH, INC.,

    Plaintiffs,

    v.

    JACQUES DADY JEAN dba Town Computer,

    And KARRIE ANN JEAN dba Town Computer,

    Defendants.

    AFFIDAVIT IN SUPPORT OF DEFENDANT’S REQUEST FOR DEFAULT UNDER RULE 55 (A)

    I, Jacques Dady Jean, do voluntarily depose and state:

     

    1. I, Jacques Dady Jean, am listed as a Defendant in Docket #: 07-0768.

    2. On April 17, 2007, a counterclaim was served upon the Plaintiff’s Jean Laforest, Michael Youte, Lucien Pierre and ODGH, Inc. (herein after referred to as the Plaintiff’s), through their attorney.

    3. More than twenty days have elapsed since the date in which the Plaintiff’s were served with the counterclaim, and they have failed to answer or defend, or serve a copy of any answer or defense to the Defendant’s.

    4. To the best of my knowledge, the Plaintiff Jean Laforest is not an infant, incompetent person or member of the armed services.

    5. To the best of my knowledge, the Plaintiff Michael Youte is not an infant, incompetent person or member of the armed services.

    6. To the best of my knowledge, the Plaintiff Jean Lucien Pierre is not an infant, incompetent person or member of the armed services.

    7. To the best of my knowledge, the Plaintiff ODGH, Inc. is not operated by infants, incompetent persons or members of the armed services.

     

    Signed under the pains and penalties of perjury this 5th day of April, 2010.

     

    Submitted by:

    _____________________________ ____________________________

    Jacques Dady Jean Karrie Ann Jean

    26 Regis Road 26 Regis Road

    Mattapan, MA 02126 Mattapan, MA 02126

    (617) 298-0357 (617) 298-0357

    Pro Se Pro Se

    ***********************************************

    COMMONWEALTH OF MASSACHUSETTS

    MIDDLESEX, SS SUPERIOR COURT DEPARTMENT

    Docket NO: 07-0768

    JEAN LAFOREST, MICHAEL YOUTE

    LUCIEN PIERRE, and ODGH, INC.,

    Plaintiffs,

    v.

    JACQUES DADY JEAN dba Town Computer,

    And KARRIE ANN JEAN dba Town Computer,

    Defendants.

    AFFIDAVIT IN SUPPORT OF DEFENDANT’S REQUEST FOR DEFAULT UNDER RULE 55 (A)

    I, Karrie Ann Jean, do voluntarily depose and state:

     

    1. I, Karrie Ann Jean, am listed as a Defendant in Docket #: 07-0768.

    2. On April 17, 2007, a counterclaim was served upon the Plaintiff’s Jean Laforest, Michael Youte, Lucien Pierre and ODGH, Inc. (herein after referred to as the Plaintiff’s), through their attorney.

    3. More than twenty days have elapsed since the date in which the Plaintiff’s were served with the counterclaim, and they have failed to answer or defend, or serve a copy of any answer or defense to the Defendant’s.

    4. To the best of my knowledge, the Plaintiff Jean Laforest is not an infant, incompetent person or member of the armed services.

    5. To the best of my knowledge, the Plaintiff Michael Youte is not an infant, incompetent person or member of the armed services.

    6. To the best of my knowledge, the Plaintiff Jean Lucien Pierre is not an infant, incompetent person or member of the armed services.

    7. To the best of my knowledge, the Plaintiff ODGH, Inc. is not operated by infants, incompetent persons or members of the armed services.

     

    Signed under the pains and penalties of perjury this 5th day of April, 2010.

    Submitted by:

    _____________________________ ____________________________

    Jacques Dady Jean Karrie Ann Jean

    26 Regis Road 26 Regis Road

    Mattapan, MA 02126 Mattapan, MA 02126

    (617) 298-0357 (617) 298-0357

    Pro Se Pro Se                                      

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