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COMMENT: This could be constructed as a counterclaim or cross claim discovery request

JOHN HENRY DOE C/O 1400 N. Kraemer Blvd # 417 Anytown, California 12345 Office # (xxx)248-
2802 Fax # (xxx)827-9842

SUPERIOR COURT OF THE STATE OF CALIFORNIA


FOR THE COUNTY OF LOS ANGELES
NOTICE OF MOTION FOR AN ORDER COMPELLING DISCOVERY
MOTION TO COMPEL

COMES NOW the Cross-complainant, acting for JOHN H. DOE, moves this Honorable Court to enter
an order to Compel the cross defendants to adhere to discovery and offers in support the following:

1. On (date), cross-defendants received this informal discovery request, requesting exculpatory


evidence, statements records in accord with California Penal Code §§ 1054 et seq: 2. To date, Attorney
Name has not responded

usual court heading HERE

CROSS COMPLAINT OF JOHN HENRY DOE TR


STATE OF CORPORATE FICTION
Plaintiff.
V.
JOHN HENRY DOE

__________________________________________
Doe, John-Henry, Executor (or beneficiary if that is your status)
for the Estate (or trust) known as JOHN HENRY DOE
Cross complainant,
V.
CARLOS ATTORNEY,
Cross-Defendants.
Case No : ABC12345
Judge:

1. NOTICE OF MOTION FOR AN ORDER COMPELLING DISCOVERY

Discovery Sought from Cross Defendants

1.Provide a copy of your Delegation of Authority order, Pursuant to Article III, Section II of the United
States Constitution Judicial Authority is vested in the Supreme Court or a lower court which has a
“Certified Delegation of Authority Order”

2. Name, Nationality, of the injured party

3. Name, Nationality, of Accuser 6. Name, Nationality, Ethnicity, of Attorney Name

4. Copy of Oath, required by the constitution for the Cross-Defendant


5. Production of copy of Foreign Agent Registration Statement, 22 U.S.C. § 611 et seq; Title 28 C.F.R.
Part 5, for the Magistrate, District Attorney, and any other foreign Agents.

6. Proof of Law. Please provide proof that the Civil Statute Code 123, has passed the House of
Representatives and the Senate as required by Article 4, Section 8, of the California Constitution.

7. Copy of the policy instructing city officials and their agents, to classify dark skin pigmented people
as “black”

8. Copy of cities policy or citation of authority for defining racial and ethnic categories.

9. Copy of any and all Criminal or Misconduct Complaints filed against Name, Name, etc.

10. Copy of any and all communications and emails, or faxes between County Attorney Office, Risk
Management, any officer of the Superior Court of XYZ in relation to STATE v NAME

11. Does Attorney Name, have a financial interest in the matter ________yes ________no: a. My
immediate family member has a financial interest in the matter. b. My business partner has a financial
interest in the matter. c. I am an officer, director, trustee, partner or employee of a business
organization, and the business organization has a financial interest in the matter. d. I am negotiating or
have made an arrangement concerning future employment with a person or organization, and the
person or organization has a financial interest in the matter.

12. Please explain the financial interest and include a dollar amount if you know it.

13. Proof of Authority to Administer Estate;

14. Presentment of all Surety Bonds, Indemnity Bonds, Excess Liability Bonds, and all other related
county or state insurance policies as pertains to each contracting officers, administrators, judicial
officers, district attorneys, Bailiff’s, court recorders, court clerks, claimants, and injured parties, who
are participating in the charging, administering, settlement, and claims made against the Estate.

15. A copy of any tax return filed or recorded for JOHN H DOE, regarding the matter set forth in this
case no ABC12345.

16. A copy of any information returns, as well as all other IRS forms that were, are, or will be prepared
regarding this case no ABC12345.

17. Production of a copy or proof that the court received NAME ATTORNEY’s Bond, covering the
capital gains taxes (state and federal) on a carryover basis, based on the valuation of his alleged
charges.

18. The production of a bonafide claim, for damage and/or injury, signed and verified by oath or
affirmation, sworn to under penalty of perjury, by the injured or damaged party.

19. The production of the total penal amount for the charges.

20. Financial Statement for Case ABC12345


WHEREFORE, the cross-complainants respectfully requests that the Court enter an Order requiring
cross-defendants to provide full and complete responses, discovery, and full disclosure to the discovery
sought, below:
____________________________________
By: Doe, John-Henry
c/o Address, 64 Earth

CROSS COMPLAINT OF JOHN HENRY DOE TR

State of ___________________ County of ____________________

On _________ before me, ________________________, personally appeared


________________________ who proved to me on the basis of satisfactory evidence to be the
person(s) whose name(s) is/are subscribed to the within instrument and who acknowledged to me that
he/she/they executed the same in their authorized capacity(ies), and by his/her/their signature(s) on the
instrument the person(s), or entity upon behalf of which the person(s) acted, executed the instrument. I
certify under PENALTY of PERJURY under the laws of the state of California that the foregoing
paragraph is true and correct. WITNESS my hand and official seal.

Signature ______________________________ (Seal)

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