HARD UP FOR REVENUE, NYE'S HIGHWAY PATROL GOES RENO 911 / DIRTY HARRY ON DISABLED SCOOTER DRIVERS REGARDLESS OF THE PROPER LAW
SINCE WHEN AM I A FEMALE WITH BROWN EYES? THEY CREATED A REASON TO PULL ME .OVER AGAIN AND DON'T EVEN KNOW THAT A SCOOTER UNDER 50CC IS CONSIDERED A ELECTRIC BICYCLE ... NOT WORTHY OF A MOTORCYLE LICENSE NOR A CAR LICENSE....
NV LAW CLEARLY STATES A SCOOTER 50CC OR LESS IS NOT WORTHY OF A MOTORCYCLE LICENCE, NOR A CAR.LICENCE .. SO EVEN IF HE DID NOT LABEL ME A BROWN EYED GIRL, THE MOTHERFUCKER HAD NO REASON TO PULL ME OVER OR TICKET ME AT ALL... ANOTHER PROOF .OF POLICE HARASSMENT IN NYE COUNTY.
IN THE Justice COURT OF NYE COUNTY; Traffic Violations Division Pahrump, Nevada
Peter J. Helfrich) Plaintiff, ) ) vs. ) Case No. l l TR03651 ) Nye County, District Attorney, State of Nevada ) INSERT NAME OF DEFENDANT, )
Defendant. )
MOTION FOR DISCOVERY
NOW COMES the Defendant, Peter J. Helfrich pro se, and for his/her Motion for Discovery, hereby states as follows:
1. That on the date in question pertaining to traffic tickets being issued for CASE # l l TR03651 Defendant was served with a complaint at law and summons.
2. That Peter J. Helfrich is the named defendant herein.
3. That in order to properly answer said allegations to the Complaint at Law, Defendant is in need of obtaining discovery in this matter, including, but not limited to; all police reports, memorandum, notes, flash messages, supplemental reports, VIDEO EVIDENCE OF INCIDENT FROM THE POLICE CAM (or what ever said name or term is used for the video surveillance devices used in Highway Patrol Vehicles) , ELECTRONIC EVIDENCE OF THE RATES OF SPEED IN MILES PER HOUR THE DEFENDANT (or any other means besides human judgment used to uncontestable prove rate of speed during the alleged incident; preferably time and date stamped) was traveling to ascertain IF Peter J. Helfrich was exceeding 30 Miles Per Hour during the time frame the Highway Patrolman was following Peter J. Helfrich, incident reports, and all documents regarding Peter J. Helfrich. 3. That in addition to any and all police reports, the Defendant is in need of all of the medical records of the plaintiff regarding this incident.
4. That the discovery requested is crucial to the defendant's defense in this matter.
WHEREFORE, Defendant, Peter J. Helfrich respectfully requests this Honorable Court to grant Defendant's request for Discovery, including the reports from the NYE COUNTY HIGHWAY PATROL, & or but not limited to NYE COUNTY SHERIFFS DEPARTMENT and medical records and hospital records relating to said injury, and for such other and further relief this Court deems fair and just.
Respectfully submitted,
By:___________________________ Peter J. Helfrich , pro se Homeless; Disabled 311 S. Frontage Road Suite 106, Pahrump, NV 89048 775-513-3033; petehelfrich2000@yahoo.com www.castilloconfessions.blogspot.com
http://www.leg.state.nv.us/nrs/NRS-486.html
ReplyDeleteNV LAW CLEARLY STATES A SCOOTER 50CC OR LESS IS NOT WORTHY OF A MOTORCYCLE LICENCE, NOR A CAR.LICENCE .. SO EVEN IF HE DID NOT LABEL ME A BROWN EYED GIRL, THE MOTHERFUCKER HAD NO REASON TO PULL ME OVER OR TICKET ME AT ALL... ANOTHER PROOF .OF POLICE HARASSMENT IN NYE COUNTY.
ReplyDeleteIN THE Justice COURT OF NYE COUNTY;
ReplyDeleteTraffic Violations Division
Pahrump, Nevada
Peter J. Helfrich)
Plaintiff, )
)
vs. ) Case No. l l TR03651
) Nye County, District Attorney, State of Nevada
)
INSERT NAME OF DEFENDANT, )
Defendant. )
MOTION FOR DISCOVERY
NOW COMES the Defendant, Peter J. Helfrich pro se, and for his/her Motion for Discovery, hereby states as follows:
1. That on the date in question pertaining to traffic tickets being issued for CASE # l l TR03651 Defendant was served with a complaint at law and summons.
2. That Peter J. Helfrich is the named defendant herein.
3. That in order to properly answer said allegations to the Complaint at Law, Defendant is in need of obtaining discovery in this matter, including, but not limited to; all police reports, memorandum, notes, flash messages, supplemental reports, VIDEO EVIDENCE OF INCIDENT FROM THE POLICE CAM (or what ever said name or term is used for the video surveillance devices used in Highway Patrol Vehicles) , ELECTRONIC EVIDENCE OF THE RATES OF SPEED IN MILES PER HOUR THE DEFENDANT (or any other means besides human judgment used to uncontestable prove rate of speed during the alleged incident; preferably time and date stamped) was traveling to ascertain IF Peter J. Helfrich was exceeding 30 Miles Per Hour during the time frame the Highway Patrolman was following Peter J. Helfrich, incident reports, and all documents regarding Peter J. Helfrich.
3. That in addition to any and all police reports, the Defendant is in need of all of the medical records of the plaintiff regarding this incident.
4. That the discovery requested is crucial to the defendant's defense in this matter.
WHEREFORE, Defendant, Peter J. Helfrich respectfully requests this Honorable Court to grant Defendant's request for Discovery, including the reports from the NYE COUNTY HIGHWAY PATROL, & or but not limited to NYE COUNTY SHERIFFS DEPARTMENT and medical records and hospital records relating to said injury, and for such other and further relief this Court deems fair and just.
Respectfully submitted,
By:___________________________
Peter J. Helfrich , pro se
Homeless; Disabled 311 S. Frontage Road Suite 106, Pahrump, NV 89048
775-513-3033; petehelfrich2000@yahoo.com
www.castilloconfessions.blogspot.com