Case: 45CI1:25cv00134JA Document #: 1 Filed: 05/06/2025 Page 1 of 7
XT MADIS'
Jl I I•
IN THE CIRCUIT COURT OF MADISON COUNTY, MIS^J^PI CLERK .
BY D.C.
COMELIA WALKER,
Petitioner,
v.
TIM SCOTT TAYLOR,
Respondent.
SWORN PETITION FOR JUDICIAL REVIEW OF PRIMARY RUNOFF ELECTION
CONTEST
COMES NOW the Petitioner, Cornelia Walker, and pursuant to Miss. Code Ann. § 23-
15-927, files this sworn petition for judicial review of the Democratic Primary Runoff Election
held in Canton, Mississippi on April 22, 2025, and in support thereof, states as follows:
1. Petitioner has filed a contest of the Democratic Primary Runoff Election results with the
Canton Municipal Democratic Executive Committee (CMDEC) on May 6, 2025.
2. Petitioner files this judicial petition on May 6,2025, the day the contest was submitted to
the Executive Committee.
3. This filing is timely under the express requirements of Miss. Code Ann. § 23-15-927,
which provides that a petition for judicial review must be filed within ten (10) days of the
filing of the contest with the executive committee.
4. As held by the Mississippi Supreme Court in Chandler v. McKee, 202 So. 3d 1269, 1273
(Miss. 2016): “The statute clearly requires the petition to be filed within ten days of the
filing of the complaint with the executive committee, without regard for whether the
executive committee has ruled on the complaint.”
Case: 45CI1:25cv00134JA Document #: 1 Filed: 05/06/2025 Page 2 of27
5. This petition is not premature, but rather mandated by the statute’s plain text. The
Legislature amended § 23-15-927 in 2012 to impose a strict ten-day deadline, and
the Mississippi Supreme Court in Chandler emphasized that waiting for
committee action would risk dismissal.
6. The Petitioner asserts that significant and material irregularities, including the
disenfranchisement of eligible voters in annexed areas, and the Trails of Madison
have cast doubt on the outcome of the April 22, 2025, Democratic Primary
Runoff Election.
7. Petitioner requests judicial review because the number of voters impacted by the
exclusion from SEMS exceeds the margin of victory in the election, and therefore,
the true will of the voters cannot be determined.
8. A sworn copy of the complaint filed with the CMDEC is attached hereto as
Exhibit A, and the required certificate of two independent attorneys accompanies
this filing pursuant to § 23-15-927.
9. Upon filing of this petition, Mississippi Code Annotated §23-15-929 instructs the
Circuit Clerk as follows: “the circuit clerk shall immediately, by registered letter
or by telegraph or telephone, or personally, notify the Chief Justice of the
Supreme Court, or in his absence, or disability, some other judge of the Supreme
Court, who shall forthwith designate and notify a circuit judge on senior status of
a district other than that which embraces the county or any of the counties,
involved in the contest or complaint, to proceed to the county in which the contest
or complaint has been filed to hear and determine the contest or complaint.”
Case: 45CI1:25cv00134JA Document #: 1 Filed: 05/06/2025 Page 3 of37
10. On December 19, 2017, the City of Canton adopted an ordinance annexing Areas
1 and 2, which includes the Kingston Subdivision, and the Westside Trailer Park.
Said annexation was upheld in Matter of Enlarging, Extending & Defining Corp.
Limits & Boundaries of City of Canton, 317 So. 3d 949 (Miss. 2021).
11. The land on which the Trails of Madison sits had been in the City since on or
about 2007 but was vacant land. The Trails of Madison was constructed in 2020
which consists of thirty (30) buildings which have 600 units of one- and two-
bedroom apartments. There are 240 single bedroom apartments and 360 two-
bedroom apartments. These individuals who were above the age of eighteen
became eligible voters for the City of Canton. Upon information and belief, there
presently are 221 registered voters located at the The Trails of Madison. Upon
information and belief, there are approximately 500 registered voters in the
Kingston Subdivision and approximately 100 registered voters in the Westside
Trailer Park.
12. Despite the annexation, and the Trails of Madison being in the city since on or
about 2020, the city “refuses to provide the Circuit Clerk of Madison County a
usable format for adding the residents of the newly annexed area [or the Trails of
Madison] to the voter rolls for the City of Canton elections inclusion in the
Statewide Election Management System (SEMS)”. See Court’s Order April 21,
2025.
13. “The City of Canton held its primary elections on Tuesday, April 1, 2025, despite
its refusal to give the Circuit Clerk a usable form to add the newly annexed voters
to SEMS.” See Court’s order April 21, 2025. See Court’s Order April 21, 2025.
Case: 45CI1:25cv00134JA Document #: 1 Filed: 05/06/2025 Page 4 of47
As the Court stated: “The municipality may not annex citizens and then
disenfranchise the same citizens.”
14. The Circuit Clerk, Anita Wray, testified in Court on May 6, 2025 that she had
received from the City Clerk a three and one-half (3‘A) page document with street
and address range in late December 2024.
15. The Circuit Clerk, Anita Wray, testified that she sent to the City Clerk an address
library of every street completed or incomplete in January, 2025 in anticipation of
the 2025 Municipal Elections.
16. The Circuit Clerk, Anita Wray, testified that she received back from the City
Clerk, “it’s good.” However, she could not state the exact date.
17. The City Clerk, Dr. Chuconna Anderson testified that she received from the
Circuit Clerk, Anita Wray, the address library in August, 2024.
18. The Circuit Clerk, Anita Wray, testified that she did not have the address library
prior to January 2025.
19. As a result, the Trails of Madison and the newly annexed area approximately
3,000 residents were disenfranchised. Those who were 18 and older were not
notified of their right to vote in the April 1,2025 primary election, or the April
22, 2025 primary runoff election. Hundreds of individuals were turned away
from what they thought were their voting precinct in Ward 4 and others were not
permitted to cast regular ballots. In, fact only thirty-two (32) affidavit ballots were
cast in Ward 4, the precinct that these individuals were eligible to cast a vote.
20. The CMDEC failed to take timely corrective measures and, in fact, rejected
affidavit ballots cast by voters residing in the annexed areas or The Trails of
Case: 45CI1:25cv00134JA Document #: 1 Filed: 05/06/2025 Page 5 of57
Madison during the first primary, solely on the basis that their addresses were not
present in SEMS. Additionally, voters were turned away being informed by poll
workers that they were not in SEMS for Ward 4.
21. On April 21, 2025, the Circuit Court of Madison County granted a Writ of
Mandamus ordering the CMDEC to count affidavit ballots submitted by voters
from the newly annexed areas in the April 22, 2025 runoff election. The Writ of
Mandamus covered the Trails of Madison, Kingston Subdivision and the Trailer
Park.
22. The CMDEC’s refusal to notify these voters in the April 22, 2025 primary runoff
election of their right to vote violated Mississippi election law, thereby
disenfranchising a significant class of voters and rendering the results of the
primary runoff incapable of ascertaining the true will of the voters because the
winning candidate that the CMDEC certified only won by 43 votes. With
approximately 821 eligible voters not being able to cast a vote for the candidate of
his or her choice, the will of the voters cannot be determined.
23. The failure to notify or include eligible voters from duly annexed portions of the
City and the Trails of Madison constitutes a violation of:
i. Miss. Code Ann. § 23-15-171 (duty to properly administer primary
elections);
ii. The fundamental right to vote under both state and federal law;
iii. The disenfranchisement of a significant number of voters;
24. These irregularities materially affected the outcome of the election and warrant a
new election because the will of the voters cannot be determined.
Case: 45CI1:25cv00134JA Document #: 1 Filed: 05/06/2025 Page 6 of67
WHEREFORE, PREMISES CONSIDERED, Petitioner respectfully prays that this
Court:
a. Takes jurisdiction over this matter;
b. Declares the April 22, 2025, primary runoff election results void;
c. Order a new election; and
d. Grant such other relief as may be just and proper.
Respectfully submitted this thefe^'day of May, 2025.
CO ILIA WALKER, Petitioner
By:
Angela Turner Ford (MSB No. 100187)
Attorney for Petitioner
Turner Law Offices, P.L.L.C.
452 East Street
P.O. Drawer 1500
West Point, Mississippi 39773
Telephone No. 662.494.6611
angela@bturnerlaw. com
OF COUNSEL:
Barbara Blackmon, MSB #3346
Edward Blackmon, Jr., MSB #3354
Bradford J. Blackmon, MSB #104848
Blackmon & Blackmon, PLLC
907 W. Peace Street
Canton, MS 39046
601.859.1567
bblackmon@blackmonlawfirm.com
edbackmon@blackmonlawfirm.com
biblackmon@blackmonlawfirm.com
Case: 45CI1:25cv00134JA Document #: 1 Filed: 05/06/2025 Page 7 of77
STATE OF MISSISSIPPI
COUNTY OF MADISON
PERSONALLY APPEARED BEFORE ME, the undersigned authority in and for the
County and State herein, states on oath that the matters, facts and things set forth herein
are true and correct to the best of her knowledge^
omelia Walker
SWORN TO AND SUBSCRIBED BEFORE ME^this the 6?
da1 May,
2025.
NOTARY PUBLIC
MY COMMISSION EXPIRES:
(SEAL)
Case: 45CI1:25cv00134JA Document #: 11 Filed: 05/06/2025 Page 1 of 5
IN THE MATTER OF THE DEMOCRATIC MUNICIPAL PRIMARY
ELECTION RUNOFF
CITY OF CANTON, MISSISSIPPI
BEFORE THE CANTON MUNICIPAL DEMOCRATIC EXECUTIVE
COMMITTEE
PETITION TO CONTEST PRIMARY RUNOFF ELECTION RESULTS OF
APRIL 22, 2025
1. Petitioner, Cornelia Walker, is a duly qualified elector of the City of Canton and
candidate in said election.
2. Respondent, Canton Municipal Democratic Executive Committee (“CMDEC”), is the
duly constituted body responsible for the administration and certification of the
Democratic municipal primary elections pursuant to Miss. Code Ann. § 23-15-171.
3. This Petition is brought under the authority granted in Miss. Code Ann. § 23-15-927,
which allows for contesting the legality of the conduct of a primary election and/or
primary runoff election before the proper party executive committee.
4. The CMDEC is the proper body to hear this contest under Mississippi law, as it
conducted the Democratic Primary Election and the runoff on April 1 and April 22, 2025,
respectively.
5. On December 19, 2017, the City of Canton adopted an ordinance annexing Areas 1 and
2, which includes the Kingston Subdivision, and the Westside Trailer Park. Said
annexation was upheld in Matter of Enlarging, Extending & Defining Corp. Limits &
Boundaries of City of Canton, 317 So. 3d 949 (Miss. 2021).
6. The land on which the Trails of Madison sits had been in the City since on or about
2007 but was vacant land. The Trails of Madison was constructed in 2020 which consists
exhibit
1
I
Case: 45CI1:25cv00134JA Document #: 11 Filed: 05/06/2025 Page 2 of 5
of thirty (30) buildings which have 600 units of one and two bedroom apartments. Those
individuals then became eligible voters for the City of Canton.
7. Despite the annexation, and the Trails of Madison being in the City since on or about
2007, the City failed to provide the Circuit Clerk of Madison County a usable street and
address range in proper format for adding the residents of the newly annexed area or the
Trails of Madison to the voter rolls for the City of Canton elections inclusion in the
Statewide Election Management System (SEMS), as required by law.
8. The Circuit Clerk, Anita Wray, testified in Court on May 6, 2025 that she had
received from the City Clerk a three and one-half (3 /z) page document with street and
address range in late December 2024.
9. The Circuit Clerk, Anita Wray, testified that she sent to the City Clerk an address
library of every street completed or incomplete in January, 2025 in anticipation of the
2025 Municipal Elections.
10. The Circuit Clerk, Anita Wray, testified that she received back from the City Clerk,
“it’s good.” However, she could not state the exact date.
11. The City Clerk, Dr. Chuconna Anderson testified that she received from the Circuit
Clerk, Anita Wray, the address library in August, 2024.
12. The Circuit Clerk, Anita Wray, testified that she did not have the address library
prior to January 2025.
13. As a result, of the Trails of Madison and the newly annexed area approximately
3,000 residents were disenfranchised. Those who were 18 and older were not notified of
their right to vote in the April 1, 2025 primary election, or the April 22, 2025 primary
runoff election. Several individuals were turned away from what they thought were their
2
Case: 45CI1:25cv00134JA Document #: 11 Filed: 05/06/2025 Page 3 of 5
voting precinct and others were not permitted to cast regular ballots. In, fact only thirty-
two (32) affidavit ballots were cast in Ward 4, the precinct that these individuals were
eligible to cast a vote.
14. The CMDEC failed to take timely corrective measures and, in fact, rejected affidavit
ballots cast by voters residing in the annexed areas during the first primary, solely on the
basis that their addresses were not present in SEMS. Additionally, voters were turned
away being informed by poll workers that they were not in SEMS for Ward 4.
15. On April 21, 2025, the Circuit Court of Madison County granted a Writ of Mandamus
ordering the CMDEC to count affidavit ballots submitted by voters from the newly
annexed areas in the April 22, 2025 runoff election. The Writ of Mandamus covered the
Trails of Madison, Kingston Subdivision and the Trailer Park.
16. The CMDEC’s refusal to notify these voters in the April 22, 2025 primary runoff
election of their right to vote violated Mississippi election law, thereby disenfranchising a
significant class of voters and rendering the results of the primary runoff incapable of
ascertaining the true will of the voters because the winning candidate that the CMDEC
certified only won by 43 votes.
17. The failure to notify or include eligible voters from duly annexed portions of the City
and the Trails of Madison constitutes a violation of:
Miss. Code Ann. § 23-15-171 (duty to properly administer primary elections);
The fundamental right to vote under both state and federal law;
18. These irregularities materially affected the outcome of the election and warrant a new
election
3
Case: 45CI1:25cv00134JA Document #: 11 Filed: 05/06/2025 Page 4 of 5
WHEREFORE, PREMISES CONSIDERED, Petitioner respectfully requests
that the Canton Municipal Democratic Executive Committee:
A. Set aside the certification of the results of the Democratic Primary Runoff
Election;
B. Order a new election that includes the participation of all duly annexed and
eligible voters in the Trails of Madison;
C. Investigate and hold a hearing on the failure to notify or include voters from
Areas 1 and 2 and the failure to notify or include voters in the Trails of Madison;
D. Take such other and further action as may be necessary to ensure compliance with
state election law.
Respectfully submitted this the^?^lay ofi 2025.
Cornelia Walker
414 East Fulton Street
Canton, MS 39046
601.608.8119
STATE OF MISSISSIPPI
COUNTY OF MADISON
PERSONALLY APPEARED BEFORE ME, the undersigned authority in and
for the County and State herein, states on oath that the matters, facts and things set forth
herein are true and correct to the best of her knowL ge.
Cornelia Walker .
SWORN TO AND SUBSCRIBED BEFORE ME, this the [ft day of May.
2025.
4
Case: 45CI1:25cv00134JA Document #: 11 Filed: 05/06/2025 Page 5 of 5
NOTARY PUBLIC
MY COMMISSION EXPIRES:
(SEAL)
f*9; ID*4M793^\2*.
J JAHMILANWtATH0WOON ■
\ ^CommfesJon Expire* Z
5
Case:
Case:45CI1:25cv00134JA
45Cll:25-cv-00116-JA Document #: 12
Document#: 3 Filed: 04/21/2025
Filed: 05/06/2025 Page 11 of
Page of 44
IN THE CIRCUIT COURT OF MADISON COUNTY, MISSISSIPPI
£ APR 2 1 2025 ?
1
liVRAY. CIRCUIT CLERK
NANCY CRUTCHER, ) D.C.
And JOHN DOES 1-3
VS. CAUSE NO.: 2025-cv-0116-JA
CANTON MUNICIPAL DEMOCRATIC
EXECUTIVE CMTE.
ORDER
Nancy Crutcher’s Petitionfor Emergency Relief, Temporary Restraining Order, Preliminary
Injunction, and Writ ofMandamus, which was filed minutes before closing on Thursday, April 17,
2025, is before the court. The courthouse was closed on Friday, April 18,2025, to observe Good
Friday.
On December 19,2017, the City of Canton proposed annexation of five unincorporated
areas of Madison County, Mississippi. The Chancery Court of Madison County, Mississippi,
granted the city’s annexation of the proposed Areas 1 and 2. The Chancery Court denied
annexation of Areas 3,4, and 5. Matter ofEnlarging Extending & Defining Corp. Limits &
Boundaries ofCity ofCanton, Madison Cnty., 317 So. 3d 949 (Miss. 2021).
The city successfully annexed Areas 1 and 2, which include the Trails of Madison, the
Kingston Subdivision, and “the Trailer Park,” also known as the Westside Trailer Park.
Despite the City’s successful annexation, it refuses to give the Circuit Clerk of Madison
County, Mississippi, a usable format for adding the residents of the newly annexed area to the
voter rolls for the City of Canton elections in the Statewide Election Management System
(SEMS).
Case:
Case:45CI1:25cv00134JA
45Cll:25-cv-00116-JA Document
Document#:#:12
3 Filed: 04/21/2025
Filed: 05/06/2025 Page 22 of
Page of 44
The City of Canton held its primary elections on Tuesday, April 1,2025, despite its
refusal to give the Circuit Clerk a usable form to add the newly annexed voters to SEMS.
Crutcher’s counsel represents that the Canton Municipal Democratic Executive Committee
voided or refused to certify all affidavit ballots of voters from the newly annexed area, including
the Trails of Madison, the Kingston Subdivision, and “the Trailer Park,” also known as the
Westside Trailer Park, as eligible ballots in the primary election because the addresses were not
included in SEMS.
The Court grants the Petition in part and denies the Petition in part. The Court rejects
the request to enjoin or restrain certification of the election until “the eligible voters residing in
the annexed area have been given the opportunity to vote” and to “cast a ballot on a regular
voting machine”. The newly annexed voters cannot be added to SEMS with less than twenty-
four hours’ notice and allowed to “cast a regular ballot on the voting machine”. Further, there is
no reason to extend voting beyond Tuesday, April 22,2025.
The Court grants the Petition and the Writ of Mandamus in that any eligible voter from
the annexed area may vote by affidavit ballot in the runoff election on Tuesday, April 22, 2025.
Further, the Canton Municipal Democratic Executive Committee must not void the affidavit
ballot simply because the address is not in SEMS.
The voter must submit identification as required by § 23-15-563. The Canton Municipal
Democratic Executive Committee must count any valid affidavit ballot in the newly annexed area
of the Canton City Limits, to include the Trails of Madison, the Kingston Subdivision, and “the
Trailer Park, ” also known as the Westside Trailer Park, as eligible ballots in the runoff primary
Case:
Case:45CI1:25cv00134JA
45Cll:25-cv-00116-JA Document
Document#:#:12
3 Filed: 04/21/2025
Filed: 05/06/2025 Page 33 of
Page of44
election on Tuesday, April 22,2025. These ballots must not be excluded or voided simply
because the address is not registered on SEMS.
Further, the City of Canton must submit a complete street and address range with the
correct wards for Area 1 and Area 2 in its Amended Ordinance Enlarging, Extending, and Defining
the Corporate Limits and Boundaries ofthe City ofCanton, Madison County, Mississippi passed by
the majority of the members of the Board and Aiderman and adopted on December 19,2017 and
proposed Annexation of Area 1 and Area 2 to the Circuit Clerk of Madison County, Mississippi,
within thirty (30) days of entry of this order. The municipality may not annex citizens and then
disenfranchise the same citizens.
IT IS THEREFORE, ORDERED AND ADJUDGED, that the Canton Municipal
Democratic Executive Committee must count any valid affidavit ballot submitted with
identification as required by § 23-15-563 in the newly annexed area of the Canton City Limits, to
include the Trails of Madison, the Kingston Subdivision, and “the Trailer Park,” also known as
the Westside Trailer Park, as eligible ballots in the runoff primary election on Tuesday, April 22,
2025. These ballots must not be excluded or voided simply because the address is not registered
on the Statewide Election Management System (SEMS).
IT IS FURTHER ORDERED AND ADJUDGED, that the City of Canton must submit a
complete street and address range with the correct wards for Areas 1 and 2 in its Amended
Ordinance Enlarging, Extending, and Defining the Corporate Limits and Boundaries ofthe City of
Canton, Madison County, Mississippi passed by the majority of the members of the Board and
Aiderman and adopted on December 19,2017 and proposed Annexation of Area 1 and Area 2 to
the Circuit Clerk of Madison County, Mississippi, within thirty (30) days of entry of this order.
Case:
Case:45CI1:25cv00134JA
45Cll:25-cv-00116-JA Document
Document#:#:12
3 Filed: 04/21/2025
Filed: 05/06/2025 Page 44 of
Page of44
SO ORDERED AND ADJUDGED this the 21st day of April, 2025.
irCuit [ge
Case: 45CI1:25cv00134JA
COVERSHEET Document
Court Identification #: 13
Docket # Filed:Case
05/06/2025
Year Page 1 ofNumber
Docket 1
Civil Case Filing Form
(To be completed by Attorney/Party
rzr^im run
County# Judicial Court ID
1210121^1 ll.Rlzt~
Prior to Filing of Pleading) District (CH, Cl, CO) krift
Mississippi Supreme Court Form AOC/Ol
io i6iwi2ra
Month Date Year
Local Docket ID
Administrative Office of Courts (Rev 2009) This area to be completed by clerk Case Number if filed prior to 1/1/94
In the CIRCUIT Court of MADISON County Judicial District
Origin of Suit (Place^i^x'nr^n^o^niyy
[x~| initial Filing Reinstated [~~| Foreign Judgment Enrolled |~~| Transfer from Other court |—] Other
Remanded Reopened Joining Suit/Action Appeal
Plaintiff * Party(ies) Initially Bringing Suit Should Be Entered First - Enter Additional Plaintiffs on Separate Form
individual Walker Cornelia
Last Name First Name Maiden Name, if applicable M.l. k/Sr/lll/IV
Check (x) if Individual Plainitiff is acting in capacity as Executor(trix) or Admlnistrator(trix) of an Estate, and enter style:
Estate of
Check (x} if Individual Planitiff is acting in capacity as Business Owner/Operator (d/b/a) or State Agency, and enter entity
D/B/A or Agency
Business
Enter legal name of business, corporation, partnership, agency - If Corporation, indicate the state where incorporated
Check (x) if Business Planitiff is filing suit in the name of an entity other than the above, and enter below:
D/B/A
Address of Plaintiff 414 E, Fulton Street, Canton. MS 39046
Attorney (Name & Address) Angela Turner Ford. 452 East Streel.West Point. MS 39773 MS Bar No. 100187
____ Check (x) if Individual Filing InR^ ' a
Signature of Individual Filing: '""Z ____________________________
Defendant - Name of Defendant * Enter Adctfional Defendants on Separate Form
,ndividua'________ Taylor______________ Tim__________ __________________
Last Name First Name Maiden Name, if applicable M.l. Jr/Sr/lll/IV
Check (x) if Individual Defendant is acting in capacity as Executor(trix) or Administrator(trix) of an Estate, and enter style:
Estate of
Check (x) if Individual Defendant is acting in capacity as Business Owner/Operator (d/b/a) or State Agency, and enter entity:
D/B/A or Agency
Business
Enter legal name of business, corporation, partnership, agency - If Corporation, indicate the state where incorporated
Check (x) if Business Defendant is acting in the name of an entity other than the above, and enter below:
D/B/A
Attorney (Name & Address) • If Known MS Bar No.
Damages Sought: Compensatory $ Punitive $ Check (x) If child support is contemplated as an issue In this suit?
* If checked, please submit completed Child Support Information Sheet with this Cover Sheet
Nature of Suit (Place an "X" in one box only) | Children/Minors - Non-Domestic | | Real Property
Domestic Relations I Business/Commercial Adoption-Contested Adverse Possession
Child Custody/Visitation Accounting (Business) Adoption - Uncontested Ejectment
Child Support Business Dissolution Consent to Abortion Minor Eminent Domain
Contempt Debt Collection Removal of Minority Eviction
Divorce:Fault Employment (7~| Other Judicial Foreclosure
Divorce: Irreconcilable Diff. Foreign Judgment | Civil Rights Lien Assertion
Domestic Abuse Garnishment E Elections I""] Partition
Emancipation Replevin Expungement Tax Sale: Confirm/Cancel
Modification [ ] Other^___ Habeas Corpus Title Boundary or Easement
Paternity | Probate Post Conviction Relief/Prisoner Other
Property Division Accounting (Probate) [~~| Other __ I Torts
Separate Maintenance f~~| Birth Certificate Correction | Contract 1 r~| Bad Faith
Termination of Parental Rights Commitment Breach of Contract [ | Fraud
UIFSA (eff 7/1/97; formerly URESA) Conservatorship Installment Contract Loss of Consortium
( ] Other 1 Guardianship Insurance Malpractice-Legal
Appeals 1 •, -| Heirship Specific Performance Malpractice - Medical
Administrative Agency Intestate Estate | | Other D MassTort
County Court Minor's Settlement | Statutes/Rules J o Negligence-General
Hardship Petition (Driver License) Muniment of Title Bond Validation ' ] Negligence • Motor Vehicle
Justice Court Name Change Civil Forfeiture I 'I Product Liability
MS Dept Employment Security Testate Estate Declaratory Judgment Subrogation
Worker's Compensation (~~| Will Contest Injunction or Restraining Order Wrongful Death
[—I Other | | Other Other r~| Other