Filed 5/16/2018 6:26 PM Melanie Reed District Clerk Ellis County, Texas 98555 CAUSE NO. _______________________ DAN GUS, Plaintiff, v. PATRICK M. WILSON – COUNTY ATTORNEY AND DISTRICT ATTORNEY FOR ELLIS COUNTY, TEXAS, Defendant. § § § § § § § § § § § § IN THE DISTRICT COURT Ellis County - 443rd District Court _______ JUDICIAL DISTRICT ELLIS COUNTY, TEXAS PLAINTIFF’S ORIGINAL PETITION TO REMOVE PATRICK WILSON FROM OFFICE DUE TO HIS OFFICIAL MISCONDUCT TO THE HONORABLE DISTRICT COURT JUDGE: Pursuant to Chapter 87 of the Texas Local Government Code, Plaintiff Dan Gus files this action to remove Patrick Wilson from his position as County Attorney and District Attorney for Ellis County, Texas due to his official misconduct. I. DISCOVERY LEVEL 1. Discovery is intended to be conducted under Level 2 pursuant to Rule 190 of the Texas Rules of Civil Procedure. II. PARTIES AND JURISDICTION 2. Plaintiff Dan Gus is a resident of Ellis County and has resided in Ellis County since 2005. He is not now and has never been under indictment in Ellis County and is fully qualified to bring this civil removal action. 3. Defendant Patrick Wilson resides in Ellis County, Texas and may be served with citation at 109 S. Jackson Street – 4th Floor, Waxahachie, Texas 75165 or wherever else he may PLAINTIFF’S ORIGINAL PETITION – Page 1 be found. Plaintiff requests that the Court sign an order authorizing issuance and service of citation on Defendant Patrick Wilson pursuant to Section 87.016 of the Texas Local Government Code. III. VENUE 5. Venue is proper in Ellis County pursuant to Section 87.015(a) of the Texas Local Government Code because it is the county in which Patrick Wilson resides and it is the county where the cause of removal alleged herein occurred. IV. FACTUAL AND LEGAL GROUNDS FOR PATRICK WILSON’S REMOVAL FROM OFFICE A. Patrick Wilson Illegally Intercepted Constable Mike Jones’ E-Mails Without a Warrant. 6. Patrick Wilson is the elected county attorney and district attorney for Ellis County, Texas. He was first appointed to that position in 2011 and was first elected in 2012 and reelected in 2016. Since his appointment to office, Patrick Wilson has been a dutiful political ally of Ellis County Judge Carol Bush, who presided over the commissioners’ court that appointed Mr. Wilson. Mr. Wilson has used his office to run political interference for Carol Bush and to prosecute some of her detractors. 7. Most notably, Patrick Wilson made repeated efforts to target Constable Michael Wade Jones for removal from his duly-elected position as Constable for Ellis County, Precinct 4. Constable Jones was a vocal critic of Carol Bush during her re-election campaign in 2014. Constable Jones had publicly criticized Carol Bush’s filing of false affidavits with the State of Texas in 2012 and 2013 in which she claimed an additional salary supplement for supposedly spending 40% of her time on judicial matters even though the Ellis County Judge does not engage in any judicial activities. In 2015, Constable Jones also considered filing complaints against Carol Bush for the false affidavits she had filed. In the fall of 2015, Constable Jones made several public statements concerning gun control, combating terrorism and illegal immigration, some of which PLAINTIFF’S ORIGINAL PETITION – Page 2 drew widespread media attention. In October 2015, Carol Bush publicly criticized Constable Jones for his political views and she and Patrick Wilson exchanged private e-mails in which they spoke approvingly of those who criticized Constable Jones. Patrick Wilson also wrote a letter to the Texas Rangers in which he conveyed that Constable Jones had supposedly threatened Carol Bush’s safety even though nothing of the sort had occurred. 8. In either late 2015 or early 2016, records of certain purchases by Constable Jones’ office were provided to his primary opponent, which were then given to another individual who presented them personally to Patrick Wilson with a request that Constable Jones be investigated for purchases by his office. Patrick Wilson seized on the opportunity to investigate an elected official whom he perceived was one of Carol Bush’s chief political antagonists. Accordingly, Mr. Wilson assigned his chief investigator, Jeff Ward, to commence an investigation of Constable Jones just as early voting was about to begin in Constable Jones’ 2016 reelection campaign. Ultimately, the District Attorney’s investigators were unable to identify any impropriety with the purchases made by Constable Jones’ office. 9. During the course of the investigation, there was a concern that Constable Jones might have used the County’s sales tax exemption for his purchase of apparel that he sold or gave away as part of his efforts to promote Second Amendment awareness and support. To address and resolve that concern, Constable Jones provided e-mail correspondence and invoices with an apparel vendor which showed that he had paid sales taxes for his purchases and had not abused the County tax exempt status for personal purchases. In providing that e-mail correspondence to the investigators from the District Attorney’s office, Constable Jones revealed that he had used his county e-mail address when corresponding with the apparel vendor. PLAINTIFF’S ORIGINAL PETITION – Page 3 10. Patrick Wilson seized on that disclosure to further investigate Constable Jones for abuse of official capacity even though Constable Jones’ use of his county e-mail address for personal correspondence did not cost the taxpayers anything. As part of that supposed investigation, Patrick Wilson somehow obtained access to Constable Jones’ county e-mail account and proceeded to monitor his e-mail correspondence for a period of two to three months or more. This secret monitoring of Constable Jones’ email account occurred on an ongoing basis from approximately February 2016 through at least May 2016. On information and belief, Patrick Wilson and his agents within his office may have also monitored the e-mail account of Constable Jones’ chief deputy at that time, Kenneth Singleton. This secret interception and monitoring of Constable Jones’ email occurred without any warrant authorizing the interception and monitoring of the Constable’s e-mail account and without Constable Jones’ consent. 11. Following the illegal interception of Constable Jones’ e-mails, Patrick Wilson’s office ultimately sought to prosecute Constable Jones for several felonies and misdemeanors. In his individual capacity, Patrick Wilson also filed a civil removal lawsuit against Constable Jones in which he falsely swore that he had personal knowledge of the allegations asserted against Constable Jones. Patrick Wilson dismissed that lawsuit in May 2017, but he then directed his Chief Investigator, Jeff Ward, to file a second civil removal lawsuit against Constable Jones in August 2017. During that lawsuit, Patrick Wilson’s office presented multiple witnesses who provided demonstrably false testimony under oath. In April 2018, the jury in that suit found that the allegations of unlawful behavior asserted against Constable Jones were not true. Despite the jury’s clear finding that the charges against Constable Jones were not true, Patrick Wilson announced that his office would continue to pursue criminal cases against the Constable based on the very charges the jury found to be not true. PLAINTIFF’S ORIGINAL PETITION – Page 4 12. During Constable Jones’ civil removal trial in April 2018, Jeff Ward admitted under oath that Patrick Wilson’s office had been monitoring Constable Jones’ email account during the spring of 2016. Jeff Ward attempted to justify the secret monitoring of the Constable’s email account by saying that Constable Jones was a county employee and had no expectation of privacy with respect to his emails. Patrick Wilson then confirmed that he had been monitoring Constable Jones’ e-mail when he addressed the issue in statements he provided to a local newspaper when he reiterated the line that Constable Jones did not have any expectation of privacy in his e-mail account because he supposedly was a county employee. Mr. Wilson also attempted to justify the warrantless surveillance of Constable Jones’ e-mail account by stating that the Constable’s e-mails would be obtainable through an open records request. 13. In addition to Jeff Ward’s admission under oath that Patrick Wilson’s office had been monitoring Constable Jones’ e-mail account without a warrant in 2016, a computer forensics expert has determined from an examination of electronic files produced by Patrick Wilson’s office that an individual with the user name patrick.wilson had logged into Constable Jones’ county email account in March 2017 and had gained access to his e-mails, which Patrick Wilson then used or disclosed in his efforts to remove Constable Jones from office either through the two civil removal lawsuits or through the various criminal prosecutions that Patrick Wilson’s office initiated against Constable Jones. The use and disclosure of those emails occurred in 2017 and 2018. [Exhibit A]. B. Legal Grounds for Patrick Wilson’s Removal from Office 14. Pursuant to Section 87.012 of the Texas Local Government Code, a county attorney or district attorney is subject to removal from office. The general grounds for removal from office as enumerated in Section 87.013 of the Texas Local Government Code include official misconduct, PLAINTIFF’S ORIGINAL PETITION – Page 5 which is defined as “intentional, unlawful behavior relating to official duties by an officer entrusted with the administration of justice or the execution of the law. The term includes an intentional or corrupt failure, refusal, or neglect of an officer to perform a duty imposed on the officer by law.” Petitioner alleges that Patrick Wilson is guilty of official misconduct because he is a public officer who has been entrusted with the administration of justice or the execution of the law, and he has engaged in intentional, unlawful behavior relating to his official duties. 15. Patrick Wilson has committed at least one felony under Texas law, which constitutes intentional, unlawful behavior relating to his official duties, which felonious behavior requires his removal from office. Particularly, Section 16.02(b) of the Texas Penal Code states, in relevant part, that a person commits an offense if the person: (1) intentionally intercepts, endeavors to intercept, or procures another person to intercept or endeavor to intercept a wire, oral, or electronic communication; (2) intentionally discloses or endeavors to disclose to another person the contents of a wire, oral, or electronic communication if the person knows or has reason to know the information was obtained through the interception of a wire, oral, or electronic communication in violation of this subsection; (3) intentionally uses or endeavors to use the contents of a wire, oral, or electronic communication if the person knows or is reckless about whether the information was obtained through the interception of a wire, oral, or electronic communication in violation of this subsection; or (4) knowingly or intentionally effects a covert entry for the purpose of intercepting wire, oral, or electronic communications without court order or authorization. Such an offense is a second-degree felony. TEX. PENAL CODE §16.02(f). Patrick Wilson committed at least four separate felonies by committing an offense under each of the four subsections of Section 16.02(b) of the Texas Penal Code as outlined above. 16. Section 16.04(b) of the Texas Penal Code specifies that a person commits an offense if the person obtains an electronic communication while the communication is in electric storage by: 1) intentionally obtaining access without authorization to a facility through which PLAINTIFF’S ORIGINAL PETITION – Page 6 electronic communications service is provided; or 2) intentionally exceeding an authorization for access to a facility through which electronic communications service is provided. An offense under Section 16.04(b) is a Class A misdemeanor, but it is a state jail felony if the offense was committed to obtain a benefit or to harm another. Patrick Wilson committed a state jail felony by obtaining Constable Jones’ e-mails that were stored on the Ellis County e-mail server by intentionally obtaining electronic access to the county e-mail server on which Constable Jones’ e-mail communications were stored. In so doing, Patrick Wilson acted with the intent to harm Constable Jones by invading his private communications and then attempting to use those private communications to criminally prosecute Constable Jones. Alternatively, Patrick Wilson committed a Class A misdemeanor by gaining unauthorized access to the county e-mail server to obtain Constable Jones’ stored e-mail communications. 17. Section 33.02(a) of the Texas Penal Code states that a person commits an offense “if the person knowingly accesses a computer, computer network, or computer system without the effective consent of the owner.” An offense under Section 33.02(a) is a Class B misdemeanor unless the computer, computer network, or computer system is owned by the government, in which case the offense is a state jail felony. Patrick Wilson committed a state jail felony by accessing the computer system or computer network containing Constable Jones’ e-mails without the effective consent of the owner of that system or network. 18. Section 39.02 of the Texas Penal Code states that a public servant commits an offense if, with intent to obtain a benefit or with intent to harm or defraud another, he intentionally or knowingly: 1) violates a law relating to the public servant’s office or employment; or 2) misuses government property, service, personnel, or any other thing of value belonging to the government that has come into the public servant’s custody or possession by virtue of the public servant’s PLAINTIFF’S ORIGINAL PETITION – Page 7 office or employment. Patrick Wilson violated several laws relating to his office in that he obtained access to another elected official’s e-mail account without the legal authorization necessary for Patrick Wilson to obtain that access. Texas law precludes a county attorney, district attorney or other law enforcement official from obtaining access to the e-mail account of a third party without a valid search warrant. Having obtained access to Constable Jones’ e-mail account without even a shred of legal authorization, Patrick Wilson has committed a Class A misdemeanor under Section 39.02(a)(1) of the Texas Penal Code. Furthermore, Patrick Wilson misused government owned computers and services as well as county employees such as Jeff Ward to help facilitate his illegal access to, use and disclosure of Constable Jones’ e-mails and e-mail account. Upon information and belief, the value of the government property, services and employees used by Patrick Wilson in his illegal activities exceeded $2,500.00, such that Patrick Wilson’s offense was at least a state jail felony pursuant to Texas Penal Code Section 39.02(c)(4). 19. Section 39.03(a) of the Texas Penal Code states that a public servant acting under color of his office or employment commits the offense of official oppression if he intentionally subjects another to mistreatment or to arrest, detention, search, seizure, dispossession, assessment or lien that he knows is unlawful. At all times relevant to this matter, Patrick Wilson was a public servant acting under color of his office. While acting under color of his office, Patrick Wilson submitted Constable Jones to mistreatment, arrest, detention, search, seizure and dispossession on the basis of his illegal access to and monitoring of Constable Jones’ e-mails in violation of the several Texas Penal Code provisions cited herein. Patrick Wilson knows and knew his behavior was unlawful and that it would subject Constable Jones to the litany of harms that constitute official oppression. PLAINTIFF’S ORIGINAL PETITION – Page 8 20. In one newspaper interview, Patrick Wilson attempted to excuse his illegal activities by arguing that Constable Jones is a county employee who has no expectation of privacy when it comes to his use of the county e-mail system and that Constable Jones’ e-mails could have been obtained through a public information request. Patrick Wilson’s attempts to justify and excuse his illegal behavior are self-serving and not supported by Texas law. First, while there may be circumstances in which an employee may not have an expectation of privacy when using an employer-provided e-mail system, that does not mean that a third party who is not the employer can hack into an employee’s e-mail. Patrick Wilson is not Constable Jones’ employer or supervisor. Patrick Wilson is just another elected department head in Ellis County. None of the criminal statutes cited herein provide any legal justification for one elected official to secretly access, monitor, use or disclose the e-mails of another elected official. 21. Similarly, whether Constable Jones’ e-mails may be obtained through a public information request is irrelevant because Patrick Wilson made no attempt to comply with the Texas Public Information Act when he secretly accessed and monitored Constable Jones’ e-mail account. As the custodian of his own e-mails, Constable Jones would have been the proper recipient of a public information request pertaining to his e-mails. However, Patrick Wilson submitted no such request. Moreover, Patrick Wilson certainly knows that he has no authority to determine the public availability of Constable Jones’ e-mails. In fact, Patrick Wilson’s office has gone as far as suing the Attorney General of the State of Texas to prevent the disclosure of e-mail correspondence from Patrick Wilson’s county-issued computer and Ellis County Judge Carol Bush’s county-issued computer. Thus, while Patrick Wilson has resisted disclosure of his e-mails and Carol Bush’s emails from their respective county-issued computers, Patrick Wilson has hypocritically and unlawfully denied Constable Jones of any protections he might enjoy under the Public Information PLAINTIFF’S ORIGINAL PETITION – Page 9 Act by simply declaring that he can secretly spy on Constable Jones’ e-mail account because Patrick Wilson has unilaterally determined that Constable Jones’ emails – of which Patrick Wilson is not the custodian – could all be obtained through a public information request. Simply stated, the penal code provisions discussed herein provide no support for Patrick Wilson’s efforts to excuse his illegal activities. As Patrick Wilson’s own office has argued in another civil removal case, when the rogue actions of a public official degrade the integrity of his office, he must be removed from office. Given Patrick Wilson’s numerous crimes detailed herein, he must suffer the fate he has sought to visit upon others - he must be removed from office. V. RELIEF REQUESTED Plaintiff Dan Gus requests the following relief: 1. That this case be referred and assigned to a district judge from another county because it is anticipated that the sitting district judges in Ellis County would recuse themselves from hearing this matter; 2 An order authorizing issuance and service of citation on Patrick Wilson pursuant to Section 87.016 of the Texas Local Government Code; 3. An order amending the case caption in advance of trial and after the commissioners’ court has selected a county attorney from an adjoining county to prosecute this matter in the name of the State of Texas and on relation of the petitioner; 4. A timely jury trial on the allegations contained in this pleading and any amendments thereto; 5. Judgment that Patrick Wilson has committed official misconduct and that he is removed from his position as county attorney and district attorney for Ellis County, 6. An award of costs to Plaintiff; and 7. All other relief, at law or in equity, to which Plaintiff is justly entitled. PLAINTIFF’S ORIGINAL PETITION – Page 10 Respectfully submitted, GUS & GILBERT LAW FIRM A PROFESSIONAL CORPORATION /s/ William C. Little WILLIAM C. LITTLE State Bar No. 24026854 209 E. Main Street Waxahachie, Texas 75165 Telephone: (214) 960-4116 Facsimile: (214) 960-4140 bill@gus-gilbert.com ATTORNEYS FOR PLAINTIFF DAN GUS PLAINTIFF’S ORIGINAL PETITION – Page 11 STATE OF TEXAS COUNTY OF ELLIS VERIFICATION Before me, the undersigned notary public, appeared Dan Gus, being known to me, who being sworn, testified as follows: "My name is Dan Gus. I have been a resident of the State of Texas since 1998 and have resided in Ellis County continuously since 2005. I am not currently under indictment in Ellis County or any other county. Thus, I meet the statutory requisites to file this petition as set forth in Section 87.015 of the Texas Local Government Code. Since early 2017, I have served as counsel for Constable Mike Jones in the civil removal lawsuit that was filed by Patrick Wilson and the second civil removal lawsuit filed by Patrick Wilson's chief investigator, Jeff Ward. In that capacity, I have developed either first-hand knowledge of the facts stated herein or have developed reliable knowledge of the facts based upon information and evidence I have obtained in the course of investigating and defending against the allegations made by Patrick Wilson and his office. I was in court in April 2018 when Jeff Ward testified and admitted under oath that Patrick Wilson's office had been secretly monitoring Constable Jones' e-mail account without a warrant. I also have reviewed the computer forensic evidence that shows that a person with the user name patrick.wilson had accessed Constable Jones' e-mail account and obtained, used and disclosed emails from that account. I am also familiar with the actions of Patrick Wilson and his office in attempting to remove Constable Jones from office either through a civil removal proceeding or through criminal prosecution, based in part on the e-mails that Patrick Wilson illegally obtained from Constable Jones' e-mail account. Given my personal involvement in the legal proceedings described herein and familiarity with all these issues, I swear and affirm that the facts stated in this petition are known to me and are true and correct." Subscribed and sworn to before me on this 16'1' day of May, 2018. Thq(/infl s Notary ublic, State of Texas REYNA CASTILLO 4 PLAINTIFF'S ORIGINAL PETITION — Page 12 14:?:.j, ..'rS NOtOry,PUblic . Siate of Texas • " al Notary ID #12552463-6 My Commission Expires ... EXHIBIT A Consulting , Services , Dallas / Ft. Wurth Texas Private Investigators 411w 2•3 :• P.O. Box 2097 Waxahachie, Texas 75168 (972) 937-3938 c www.cispi.net Brian K. Ingram, Owner Texas License: A-8429 Digital Forensic Examination Report Cause Number: 42010CR 40th District Court Ellis County, Texas Excellence is Our Standard, Customer Satisfaction Our Goal Jesus is the WAY to Both e Page 1 March 17, 2018 Forensic Computer Analysis Report t. Introduction: CIS was retained to assist Griffith and Associates with the criminal defense case of the State of Texas vs Michael Wade Jones. Included in the objectives were the following: 1. General review of digital evidence 2. Examination of Emails 3. Examination of personal devices II. Details of Examination: During the course of my review of digital evidence and discovery turned over by the State of Texas, I reviewed a CD-R turned over by the State to Griffith and Associates labeled as emails and Facebook. A photo of this item is embedded below: A screenshot of the contents shows that there is one photograph, the JPG file and several PDF files all labeled with file names beginning with "R." me Date modified Files Currently on the Disc ;8) •' R2118082510.pdf 3/8f2017 10:24 AM R2118082600.pdf 3/8/2017 10:24 AM R2118084155.pdf 3!8/2017 10:24 AM R2118091058.pdf 1 ,8/2017 10:24 AM R2118091125.pdf 3/8/2017 10:24 AM R2118091317.pdf 3/8/2017 10:24 AM R2118091334.pdf 3/8/2017 10:24 AM e R2118091510JPG 3/8/2017 10:24 AM • Page 2 March 17, 2018 The file labeled as R2118084155 is a full color screen capture from inside the Zimbra email system, which is the application that hosts the Ellis County email, from inside the Constable 4 email store. The words, "Precinct 4" can be seen in the upper right hand corner. The file also shows, due to the color highlighting of the active directories, that the emails that are being reviewed are inside a user created folder titled, "hold." That User created folder is on the left side of the screen (once the file is rotated to view properly) and then the reader can see that the contents of "hold' are in the center of the screen with what are referred to as "short headers", then a preview of the contents are seen in the extreme right hand pane. 4 Plan I' lase Rerl'a • o co law, ReP:a Delete f onward Spam tt • "led 6e Pitt USTech5appoct Adam - Read Ulna 1017 ,21l6 leSlech5oppon U waco n.ne Ion 10,1,2016 Ten Cn•enbett Sh.nal end Con:table f eta / ,5 Wx Subject : RE: Question Mon, Feb 13, 2017 06:35 AM 2 attachments To : Fink, Jack M Jack, Thank you for the email. Be advised this is a county email address. Please utilize email miones122@sbcglobal.net for any future personal correspondence. h ()Nu TAO'S Mike Jones Constable Ellis County Pct 4 1150 N Hwy 67 Suite 100 Midlothian, TX 76065 (214)980-8234 cell (972)825-5316 Office (972)7234-8629 Fax From: Fink, Jack M [mailto:JMFink2@cbs.com] Sent: Friday, February 10, 2017 1:25 PM To: Mike.Jones@co.ellis.tx.us Subject: Question Hi Constable, I'd like to see if you'd be willing to do an interview today with me about the indictment? Thanks! Jack Fink Reporter, KTVT CBS 11 News Dallas-Fort Worth Cell: 469-585-6907 Email: jackf@ktvt.com Twitter: @cbslljack Web: cbsdfw.com . 2? am?; ?vii." 825 image002.png 21 KB 4i Initial View at; Fonts , Security Description Categories Document Properties... Pages Count: 2 PDF Version: 1.5 Application: PScript5.dll Version 5.2.2 PDF Producer: Acrobat Distiller 11.0 '.V ndows) Keywords: Subject: Author. patrick.wilson Title: Zimbra File Size: 76,057 bytes (74.27 KB) Modified: 3/6/2017, 12:49 Created: 3/6/2017, 12:49 OK Cancel Additional Metadata... Location: E:\Documents\Griffith and Associates\Jones\ File Name: R2118082510,pdf Document Info File Info Description Info X Exhibit Drafts • 2 3 4 6 13 20 27 S 12 19 26 28 21 14 1 29 22 15 8 30 23 16 9 31 24 17 10 25 18 11 0 GoDaddy You've still got time to save 30%*. GoDaddy Mike, save 30% on new orders today. GoDaddy Re: p25 hand held lloydhuffcom.com DA Office - Temp Po Derrick Chance Constable, Marty - 299000530 Member Requests Sheriff and Constable Fees 2017 Tina Chambers Spam Microsoft Store - Order Confirmation (Order =MS11116798800) Microsoft, Constable - SRX11854954601D - Microsoft Download Instruction 1. MS, Constable - [1) 30% off new orders. 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C:1 1 hold ECSO INTERNET GSA Deleted Messages '7 Trash (1) EZ Junk Sent Watchguard waco crime lab UNIFORM LINE ITEMS 50821 Uniform • t:3 TCLEOSE TCLEDDS TCDRS Taser New Message Actions • 10/9/2012 10/9/2012 8/11/2016 8/12/2016 8/14/2016 8/15/2016 9/6/2016 9/19/2016 9/24/2016 10/3/2016 10/7/2016 23 conversations 10/11/101b 1 message 1/4.0 View v mike jones EXIammuln Q Shop Now tGoDaddy 120638521 Mike Jones — Customer Number. 24/7 Support (480) 505-8821 Reply To: 21471222859929 1000gdndv To: From: Gi August 15, 2016 9:47 AM Mike, save 30% on new orders today. u Read More Initial View al Fonts , Security Description Categories Pages Count: 1 PDF Version: 1.4 Application: OK Cancel Additional Metadata... PDF Producer: Pixel Translations (PIXPDF 58.5.1.1422) Keywords: Subject: Author: Title: File Size: 16,755,063 bytes (15.98 MB) Modified: 3/8/2017, 11:24 Created: 3/8/2017, 08:48 Location: F:\ File Name: R2118084155.pdf Document Info File Info Description Info Exhibit Zimbra mike.jones@co.ellis.tx.us Renewal receipt for order #1081805515 From : GoDaddy Mon, Jan 23, 2017 09:56 AM Subject : Renewal receipt for order #1081805515 To : mike Jones 24/7 Support: +1 (480) 505-8877 Michael Jones — Customer Number: 120638521 Your renewal receipt Just a heads up. The items below have been automatically renewed. To review all your products and services, please go to My Account. Product Personal Website Builder Renewal Quantity Term 1 Year 1 Year $71.88 1 Month $0.00 Renewal Usage Price Subtotal: $71.88 Tax: $4.74 Total: $76.62 We have billed your Visa card ending with the last two digits: 14 for the amount of $76.62. Your product(s) includes enrollment in our automatic renewal service. 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