RETRN

CAUSE NO. 18-6796-393
JOHN T. THORNGREN
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IN THE DISTRICT COURT
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v.
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OF DENTON COUNTY, TEXAS
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DENTON CENTRAL APPRAISAL DISTRICT §
393RD JUDICIAL DISTRICT
PLAINTIFF’S AMENDED RESPONSE TO DEFENDANT’S SPECIAL EXCEPTION
TO THE HONORABLE JUDGE OF THIS COURT:
Plaintiff, John T. Thorngren, hereby files an AMENDED RESPONSE to Defendant’s, Denton
Central Appraisal District’s, Special Exception dated September 4, 2018 requesting basis for this
Court’s jurisdiction, said amendment being the addition of 1.2-1.5 below.
I . AMEDNDED RESPONSE TO DEFENDANT’S SPECIAL EXCEPTION
1. Plaintiff seeks relief on property appraisal from the Defendant based upon the State of Texas
Tax Code, Sec 23.01 (d) and Sec. Sec. 23.01 (b), where such inference is also noted in Plaintiff’s
FACTUAL BACKGROUND, 4.2, 2016 Arbitration, Plaintiff’s First Amended Petition and
Request for Declaration.
2. Plaintiff also seeks legal relief under a tax protest for the Appraisal Review Board’s
determination of June 7, 2018, said determination according to Texas Tax Code, Chapter 41,
Subchapter C, Section 41.41 (a) (2).
3. REMEDY FOR UNEQUAL APPRAISAL is sought per Texas Tax Code, Chapter 42, Section
42.25.
4. ACTION BY THE COURT is sought Plaintiff under Texas Tax Code, Chapter 42, Section
42.24 (1) and (2).
5. ACTION BY THE COURT is sought by Plaintiff under Texas Tax Code, Chapter 42,
Section 42.24 (3) to impose the District Attorney to convene a Grand Jury for purposes of
indictment against the Defendant for conspiracy should the Court believe such evidence
presented at trial warrants such action.
REPRESENTATION FOR THE PLAINTIFF - PRO SE
PLAINTIFF ______________________________
JOHN T. THORNGREN
MAIL: P.O. Box 718
10/12/2018
Lake Dallas, Texas 75065
Tel: 940-497-0133
E-Mail: TEXANDcorp@Charter.net
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