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Thomas William Healan Jr.

©
℅ 194 Etheridge Road
Auburn Georgia 30011

STATE OF GEORGIA ) Case #2016D-00833-1


plaintiff, ) EMERGENCY Motion to
vs. ) Lift Bench Warrant
THOMAS WILLIAM HEALAN
)
defendant )
)
)

Now Comes Thomas William Healan, alleged defendant, by special appearance, not submitting

to the court’s jurisdiction, participating under threat, duress, and coercion, who hereby moves

this court to strike/dismiss the bench warrant issued for failure to appear on the fact that

defendant did not receive notification of any type since arraignment. Included in this motion are

documents received on april 21, 2016. Documents were on my truck under windshield wipers,

likely left by a neighbor at the address on the documents. Defendant acknowledges his lack of

understanding the criminal procedures, jurisdiction, and charges that the plaintiff is alleging as

well as lack of knowledge of proper filing rules procedures and proper composing of motions or

any related documents as the nature and cause of actions have yet to be explained to the

defendant. It is obvious that this act is committed with the intent to cause harm to the defendant

as plaintiff has demonstrated numerous times in the past , most recently on case 12-d-00850-54.

Alleged plaintiff was reprimanded by the Honorable Judge Joseph Iannazzone in the jury trial for

prosecutorial misconduct of false charges placed against Defendant. (No record of service, a
required part of the charge of driving on suspended license.) Defendant has lived at same

address for over 35 years. Plaintiff is well aware of this as demonstrated by many records. This

was a similar transaction as has been demonstrated by plaintiff previously in this and other

transactions. Plaintiff has yet to enter any evidence as to jurisdiction in this matter whatsoever,

as there is no evidence, therefore plaintiff is using malicious attempts to intimidate defendant and

prevent defendant from having a fair trial as defendant is entitled to by law.

Conclusion

Therefore defendant prays that the honorable court lift the bench warrant and make plaintiff

place evidence of jurisdiction on record. . Defendant also respectfully requests that any action

that resulted from plaintiff's malicious act that would affect defendant's driver's license or any

other license permit or right as allowed by law be withdrawn or corrected to protect defendant

from further malicious legal attacks that defendant may be unaware of. In all due respect.

ALL RIGHTS RESERVED WITHOUT PREJUDICE UC 1-308

Submitted this TWENTY FIRST day of APRIL, 2016.

____________________________________________________

Certificate of service
This is to certify that a true and correct copy of the foregoing has been HAND DELIVERED this
TWENTY FIRST day of APRIL, 2016, to the plaintiff at the following address:
Rosanna M Szabo
OFFICE OF THE SOLICITOR
GWINNETT JUSTICE & ADMINISTRATION CENTER
75 LANGLEY DRIVE
LAWRENCEVILLE GA, 30046-6900
_________________________________

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