Precisely zero Public Defenders responded to my requests, your honor.
If you would allow it, I can personally represent the Defendant. I can have a filing ready 24 hours after your let me know.
Thank you.
Alas, we will enter our Opening Statements.
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
OPENING STATEMENT
I. ON THE FACTS OF THIS CASE
First, I want to address the facts set forth by the Prosecution. The Plea format given by the courts does not include affirming/denying facts like the...
MOTION TO RECONSIDER
The Commonwealth should desire to see justice served, not allowing missing evidence to be the cause of (potentially) an incorrect guilty verdict.
This evidence is exculpatory for my client.
The Prosecution's failure to provide it is illegal, and to deny it makes this an...
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO DISMISS
The defense moves that the complaint in this case be dismissed, and in support thereof, respectfully alleges:
1. Rule 5.5 - Lack of Claim
DonTrillions is not liable for any damages arising from these claims (whether the...
Your honor,
I will be personally taking over for DonTrillions as a Public Defender. I will be filing a Motion to Dismiss shortly. I will be able to file an Answer to Complaint within 48 hours of a ruling on the Motion, if necessary.
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO DISMISS
If the exculpatory evidence is not permitted, we ask the case be dismissed as it is an illegal case.
Criminal Code Act - Part III - Section 15 clearly states a Duty to Disclose exculpatory evidence. The Commonwealth not only...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO SUBMIT NEW EVIDENCE
Your honor, we deeply apologize for not realizing this sooner, but there is a piece of evidence that was not submitted which proves Fact 1 is false, or at least misleading.
We ask that Exhibits D-002 and D-003 be...
Your honor, due to IRL circumstances I request a 24 hour extension.
I thought I'd be able to work on this yesterday but ended up not being home until almost midnight.
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION TO DISMISS
The defense moves that the complaint in this case be dismissed, and in support thereof, respectfully alleges:
1. Rule 5.10 - Statute of Limitations
The Criminal Code Act establishes a four-month or sometimes two-month...
What is your username?
Dartanboy
How many years of experience do you have practicing criminal law, including trial experience?
Roughly 4 years.
What kind of experience do you have in a management or leadership role?
I have been the Public Defender Director before, in the program's earliest...
PERJURY
Fact 9 and Fact 10 are mutually exclusive. They cannot be both true.
If RDS was falsely listed as publicly traded (Fact 9), then it's shares could not have been publicly traded (Fact 10).
It seems the Commonwealth is twisting words in an attempt to make my client look like a...
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
RESPONSE TO OBJECTION
The ticket shows approval from the Commonwealth, confirming the following:
"Wetc is now prepared to pay 250k crp (about 2.5-3 mil DC)"
This shows the Commonwealth knew and affirmed a 1:12 rate of DC money to CRP money...
Your honor, we request an extension of discovery to last 24 hours beyond the submission of the Slipknot documents by the Commonwealth, in case it gives rise to additional witnesses or requirements of evidence.
Your honor, through the Closed Court proceedings, we have determined that the evidence is actually no longer classified. We were not aware of this.
As such, we present Exhibit D-001 (attached PDF).
We also file the following Motion to Compel, in lieu of the first one I filed.
IN THE FEDERAL...
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