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UNITES STATES DISTRICT COURT DISTRICT OF NEW HAMPSHIRE UNITED STATES OF AMERICA DEMAND FOR A BILL OF PARTICULARS. v. DANIEL RILEY 1:07-c1-189-UNKNOWN HEAR YE, HEAR YE, Daniel Riley, is making a special appearance, acting ina sovercign capacity, juris spurious, representing the fiction DANIEL RILEY, and makes this motion. Inno way does this motion imply the surrender of jurisdiction to the plaintiff, the counsel for the defendant still maintains the plaintiff has no jurisdiction over the defendant. 1. As to Count One in the indictment the defendant's counsel request the exact time and the exact place the defendant was to have alleged to have prevented officers of the United States from capturing the Browns. 2. As to Count One in the indictment the defendant's counsel request the exactly by what means and how/the defendant allegedly foreibly prevented the officers of the United States from capturing the Browns. 3. As to Count One in the indictment the defendant’s counsel request the ‘exact names of the officers that the defendant allegedly forcibly prevented from capturing the Browns. 4. As to Count One in the indictment the defendant's counsel request the exact duty the officers of the United State, in their official capacity as officers of the United States, were allegedly prevented from doing by the defendant. Be As to Count One in the indictment the defendant's counsel request the exact time and dates to when the defendant was to have allegedly resided at the Browns home. . 6. Asto Count One in the indictment the defendant’s counsel request exactly where, and what time and date that the defendant was to have allegedly declared publicly that he was going to forcibly resist the officers of the United States from arresting the Browns. 7. As to Count One in the indictment the defendant’s counsel request the exact time and dates that the defendant was to have allegedly; brought fire extinguishers to the home of the browns, brought a shotgun to the home of the Browns, and installed motion lights at the home of the Browns. 8 As to Count One in the indictment the defendant's counsel requests the cexact time and date the defendant possessing rifles appeared in a picture with Ed Brown and the exact address of the internet website that this picture was to have been allegedly posted to. 9. As to Count Two of the indictment the defendant's counsel request the exact offense the defendant allegedly conspired to commit against the United States. 10. As to Count Two of the indictment the defendant’s counsel request the exact time, date and the exact place the defendant was to have alleged to have committed this offense. 11. As to Count Two of the indictment the defendant’s counsel request the exact time, date, place, and the names of the officers that the defendant foreibly prevented from discharging their duties, 12, As to Count Three of the indictment the defendant’s counsel request the exactly how, when, and where the defendant was to have allegedly received, relieved, comforted and assisted the Browns in order to prevent their capture by officers of the United States. 13. Asto Count Fouf of the indictment the defendant's counsel request the exact time the defendant was to have allegedly carried a firearm and committed a crime of violence. 14, As to Count Four of the indictment the defendant's counsel request the exact time, place and the names of the officers of the United States that the defendant was to have allegedly forcibly prevented {rom capturing the Browns. The defendant’s counsel submits this bill of particulars to assure a proper defense can be constructed. In no way should this motion be construed to consenting jurisdiction over the defendant because the defendant maintains that this administrative tribunal has no jurisdiction over the defendant. paren: Qedober 23 2o07 Indigent inmate SCDC 266 County Farm Rd Dover NH, 03820 CC: UNITED STATES DISTRICT COURT FOR NEW HAMPSHIRE, AUSA Robert Kinsella

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