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E-Filed Document Nov 9 2017 11:07:36 2017-TS-01561 Pages: 2

INCase
THE 49CH1:17-cv-25
CHANCERY COURT Document 21 Filed 11/01/2017
OF MONTGOMERY Page 1 of 2
COUNTY, MISSISSIPPI

DONALD W. BOND PLAINTIFF

VERSUS N0.17cv26

CARLOS E. MOORE ANO


MOORE LAW GROUP PROFESCIONAL
CORPORATION, d/b/a, MOORE LAW
OFFICE, PLLC DEFENDANTS

FINAL DECRl;E

This day this cause came on to be heard on the duty flied complaint of Donakl W.
Bond for an accounting and other relief, and the Court having heard proof thereon finds
astilows, to-wit:
1. That cartos E. Moore, individually, is dismissed from the lawsuit

2. That the F"lalliff is efflitled to a judgment against Moore Law Office, PLLC
and any successor corporationstt1he amount of $28,846.57. plus interest at the rate of
8 per centum pe)-iannum from December 1, 2016.
IT IS THEREFORE ORDERED, ADJlJCK;ED AND DECREED that Donald W.
Bond is hereby granted a judgment against Moore Law Office, PLLC and any successor
corporations in the amount of $28,846.57, plus interest at the rate of 8% from Deeember
1, 2016.
SO ORDERED, ADJUDGED AND DECREED on this the go day of

October. 2017.

CHANCELLOR

FILED
NOV O1 2017
RYAN WPPD. CHANCER'( CLERK
BY 0W&~ D.C.
Case 49CH1:17-cv-25 Document 21 Filed 11/01/2017 Page 2 of 2

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Case: 49CH1:17-cv-00025 Document #: 19 Filed: 10/03/2017 Page 1 of 3

IN THE CHANCERY COURT OF MONTGOMERY COUNTY, MISSISSIPPI

DONALD W. BOND PLAINTIFF

V. NO.: 17cv25

CARLOS E. MOORE AND


MOORE LAW GROUP PROFESSIONAL
CORPORATION, d/b/a, MOORE LAW
OFFICE, PLLC DEFENDANTS

MOTION FOR RECONSIDERATION


______________________________________________________________________

COMES NOW, Defendants Carlos E. Moore, et al. (hereinafter Defendants), by

counsel, pursuant to Mississippi Rules of Civil Procedure, and files this, their Motion for

Reconsideration and in support thereof would show unto the Court, the following:

1. This matter arises from this Honorable Court ordering Defendants to pay

$28,846.57 plus 8% interest unto Plaintiff on or about September 28 th, 2017.

2. Whereas, feeling aggrieved of said judgments, Defendants are seeking

reconsideration of the aforementioned judgment.

3. Defendants contend that based upon the Acknowledgement of Conclusion of

Representation and Disbursement Authority and Direction, etc., they were no

longer obligated to comply with the terms of the assignment from 2013. See

ACRD attached, marked as Exhibit A.

4. On January 4th, 2014, Mr. James Butts signed the Completion of

Representation agreement which released Defendants from any further

responsibilities of any kind, nature, or character as relates to retaining any of the

documents and other tangible things in their file referenced above, and their
Case: 49CH1:17-cv-00025 Document #: 19 Filed: 10/03/2017 Page 2 of 3

representation of me in this matter is finally concluded upon completion of this

disbursement.

5. Once Mr. Butts applied his signature to said agreement, Defendants no longer

had to honor the assignment from 2013. On January 4th, Mr. Butts authorized

disbursement of funds unto himself in its entirety (Mr. Butts received the total

sum of Forty Thousand Seven Hundred Ninety-Seven dollars and 70/100

($40,797.70)).

6. Thus, Defendants respectfully request this Honorable Court reconsider its order

awarding $28,846.57 plus 8% interest to Plaintiff at the expense of Defendants.

7. In addition, Defendants would show that they have taken legal action against

James Butt, Central MS Construction, LLC, and Butts Building Services, Inc. for

the sum of $28,846.57 plus 8% interest, as it was Mr. Butts debt to pay initially.

Said complaint against James Butts, Central MS Construction, LLC, and Butts

Building Services, Inc.will be filed simultaneously with the instant motion.

8. Based upon the foregoing, Defendants motion should be granted.

Respectfully submitted, this the 3rd day of October, 2017.

CARLOS E. MOORE, ET AL.,

PLAINTIFF

By: _/s/ Carlos E. Moore__________


Carlos E. Moore, MSB# 100685

OF COUNSEL:

TUCKER|MOORE GROUP, LLP


306 Branscome Drive
P. O. Box 1487
Grenada, MS 38902-1487
662-227-9940 phone
Case: 49CH1:17-cv-00025 Document #: 19 Filed: 10/03/2017 Page 3 of 3

662-227-9941 fax
Email: carlos@tuckermoorelaw.com

CERTIFICATE OF SERVICE

I, the undersigned, do hereby certify that I have this date served via the
electronic filing system and/or mailed via U. S. Mail, postage pre-paid, a true and
correct copy of the above and foregoing to the following:

Donald W. Bond, Esq.


donaldwbond@hotmail.com
103 S. Applegate Street
P. O. Box 446
Winona, MS 38967

Chancellor William R. Barnett

THIS, the 3rd day of October, 2017.

__/s/ Carlos E. Moore____


CARLOS E. MOORE, ESQ.
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