Rivas v. Bank of New York Mellon

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The Supreme Court denied the petition of Petitioner seeking to invoke the Court’s discretionary jurisdiction based on express and direct conflict. Further, due to Petitioner’s numerous meritless and inappropriate filings in the Supreme Court pertaining to his foreclosure proceedings in the circuit court during the pendency of his petition for jurisdiction in this case, the Court sanctioned Petitioner by barring him from filing in the Court any future pro se pleadings, motions, or other requests for relief pertaining to his foreclosure proceedings. Counsel may file on Petitioner’s behalf if counsel determines that the proceeding may have merit and can be brought in good faith. View "Rivas v. Bank of New York Mellon" on Justia Law