Gerald W. Markham
Attorney at Law
518 Marine Way #205
Kodiak, Alaska 99615
Twila Y. Markham
Divorce
King County Case# 13-3-08383-7 SEA
Karma Zaike
Michael W. Bungi & Assoc., PLLC
11300 Roosevelt Way NE, STE 300
Seattle, WA 98125
(206) 365-5500
Original Title
15 Twila Markham v Gerald Markham STIPULATION 13-3-08383-7 SEA
Gerald W. Markham
Attorney at Law
518 Marine Way #205
Kodiak, Alaska 99615
Twila Y. Markham
Divorce
King County Case# 13-3-08383-7 SEA
Karma Zaike
Michael W. Bungi & Assoc., PLLC
11300 Roosevelt Way NE, STE 300
Seattle, WA 98125
(206) 365-5500
Gerald W. Markham
Attorney at Law
518 Marine Way #205
Kodiak, Alaska 99615
Twila Y. Markham
Divorce
King County Case# 13-3-08383-7 SEA
Karma Zaike
Michael W. Bungi & Assoc., PLLC
11300 Roosevelt Way NE, STE 300
Seattle, WA 98125
(206) 365-5500
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BEST Avan ap
As LE IMAGE py
‘OSSIBLE
IN THE SUPERIOR COURT OF WASHINGTO!
INAND FORKING COUNTY =~
Inre the Mantiage of 3
) NO. 13-3-08383-7 SEA
TWILA MARKHAM, )
a ) STIPULATION AND AGREED
‘Petitioner, ) ORDER CONTINUING TRIAL
; DATE
and
(Cleri’s Action Required
GERALD WAYNE MARKHAM, 3 Catt see fom
Respondent. 3 April 7, 2014 to bine 16, 2014
)
} (NO ENVELOPES PRovip
1 STIPULATION
COME NOW the parties hereto, by and through their attomeys of record, KARMA L.
ZAIKE and PHILIP TSAI, and hereby stipulate to the entry of an Order continuing the trial
ate in the above-captioned matier from April 7, 2014 to June 16,2014. A continnanco is,
needed because (1) counsel for Respondent has a personal conflict with the existing trial date
of April 7, 2014 and will be out ofthe country and unavailable for trial on that date; and (2)
the significant discovery and valuations need further time.
MichaeL W. BuGni & ASSOC, PLLC
‘yao ROOSEVELT IR NE, STE 30
Sear va oo
(ay 9588509 PAGSHALE (om) 2n0-2087wee soy be
‘The pasties have agreed to abide by the following agreements pending triak:
1. The Husband will deposit at east $30,000 per month, commencing with the month
of February, 2014 into the joint account (protocol for deposits will be status quo)
for payment of joint expenses. Ifthe account balence is at $10,000 or below, the
Husband agrees to make additional deposits to maintain the $10,000 threshold.
‘The characterization of said deposits and expenditures are reserved for trial. This
order is without prejudice to ether party to request changes to the expenditure
deposits; and
2, Both parties’ motions to compel and for protective order are temporarily
‘withdrawn to allow the partes to work together and develop a discovery plan to
move forward with discovery. Ifthe perties are unable to reach agreement, either
party may renew his/her motion at a later date,
3, Mail which arrives in Kodiak will be opened by Karl Losfiler and anything that
relates to Ms. Markham willbe sent to her, It relates to both partie, he will
raake 0 copy and send to Ms, Mackham. Kar wil also be authorized to send all
copies of Snanoial atements and bills fo Ms. Mirkbam.
* Date: February 12, 2014
MICHAEL W. BUGNI & ASSOC., PLLC
Vinl@tche _—_— eles Wpgelher—
KARMA L. ZAIKE, WSBA #31037 Petigoner Wife
Blectronie Signature Approved
Date: February _, 2014
Ls re
e Ce i
‘PHILIP’ ‘WSBA #27632 GERALD MARKHAM
Attorney for Respondent ‘Respondent
Page 2 0f 3 (Gon 289809 FACSUELE (00 2602087eae Terspareresaet Pasetars
‘The pantes have agiced wo abide by the following agtoamente ponding tele:
4, The Husband wil depose atleast $30,000 per mont, commencing with the month
of Febuary, 201¢ i thot enuf dept wil bongs)
{Sor payment of jlnt expanses, 1¥ ho apcguntbalenes is $0,000 ot below ee
‘Husband agrees tomate addtionad deposits to mabrtein the $10,000 threshold.
‘Ths chamctsfenion of tld depealts and expenditures oo reserved for tial. "This
gai wheat prude to lhe pasty toequet changer th expe
2, Both, ‘motions to corp cn fox protective order are termporarily
mo alow th psn o wk together and deslep a discovery plan
‘move farward with discovery. Ifthe parties ore wmmble to reach ngroement, either
‘Pasty may senew hiofher motion atm later date,
3, ‘Mal which atives in Kediok will be opened by Karl Loeffler and anyttlng tat
relates to Mo, Mickhan wil be sett her, Hfitrelzle to both pasos, he will
anak wopy anid endo Mi Maran, asl alo be eutoxizdt wed ll
= — Copies of Bnanetal suternenss and billet Mi, Marlsbaen,_
Date: February 12, 2014
MICHAEL W. BUGNI & ASSOC, PLLC
Pea xem Welt
‘Blestronl Signature Approved
Date: February 2B 2014
ila
‘aILIP TSA, WSBA RTE ‘GERALD MARKHAM
‘Attorney for Respondent Respondent
Hioaecw- Guat aeeoe, Fs —
eonnazyerncemen
Spl Agnet Oderigi as oeoomeerwe oe be
IL ORDER
‘THIS MATTER, having come on by Stipulation of both partes, through their
respective counsel of record, and for good cause shown, itis hereby
ORDERED that the trial date in this matter, currently set for April 7, 2014, is
‘continued until June 16, 2014, The stipulations ebove are adopted as the order of the court as
ifset forth fully herein,
It's further ORDERED that the Judicial Assistant shall prepare an Amended Case
Schedule.
pa: Say a
(OMMISSIONER
Presented by:
MICHAEL W. BUGNI & ASSOC. PLLC
KARMA L. ZAIKE, WSBA #31037
Copy Received; Approved for Entry;
‘Notice of Presentation Waived by:
pont os
Pls e Cpe
WSBA #27632
Attomey for Respondent
“LAW OFFIGES a ona
‘MICHAEL W. BUGN & ASSOC. PLLS
‘oo ROOSEVELT RAY, STE 20d,
i fouing Tes Searne,a sou
Spuation and Agreed OnterCotiaing Tin Da STE We es om: