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7/26/2019 Writ of Centiorari Attachments
1/13
1211612015
Jackie
Rhone
read in court
behalf
of
Merceda
D. Gooding
Dear Judge
Debelious,
You
honor:
First
please
excuse
my
grammar due to
my
impairments.
I
am indigent
disabled
(since
1112014)
pro
se
litigant
who
is incompetent
to
provide
a defense
to
stand
trial
on
December
16,2015
due
to the
phsycaritic /and
narcotic
medication
I
am ordered
to take by
my
doctors
side
affects
alters
my
behavior,
actions
and comprehension
of courVlegal
proceedings. When I take
the medication
it causes
physical and visual
impairments.
Due to these
impairments
I
request
the
first
postponement and
was threaten
no more regardless
my disability
it
will not
be
another
postponement. However,
I
requested another
postponement
and
I tvas contacted
on
the
eve of
this
court
date on
December
15,2015
that I wouldn't
receive an
hour
of
a scheduled
trail
but
only
15 minutes
trail.
I am suffering
from
severe
and
chronic
pains
including
other
disabling conditions
that keep
me
from standing
or sitting
prolonged
periods
without
chronic
pains.
I
will
not
be able
to
comprehend
the
court
proceedings,
to
protect
myself
and
utilize
legal safeguards
available
to
me
due
to my
physical
and
mental
impairments.
I should
be on bed
rest due
to the chronic
pains
from doctor's suggestions.
Even though,
I
brought
my
condition to the
court
with
medical
certification
I
wasn't
given
the
opportunity
for
psychological
assessment
concerning
my
condition
nor
the
proper
reasonable
ADA accommodations
to
ensure
that
I
would receive
a fair
trial.
I
tried to
proceed in
preparing for my defense
and
request a discovery
request
to the
prosecution
to
obtain
police
reports/
notes
regarding
to the
traffic
stops on
311812015.
I haven't
been
provided
that
information.
I haven't
been aggressive
or
request
a
motion
to obtain
those
notes
due to
my
physical,
visual
and mental
impairments.
However,
the
prosecution failed to
produce
so
I
can adequately
prepare
for my
trail
or
challenged
their
witness(s)
and
documents.
The
prosecution
denied
me
access
to the
police
report/notes
however
provided
other
documents
except
what I requested.
On
December
6, 2015, the
prosecution
requested
documents
from
the
defendant
30
days before
the first
scheduled
court date
which
is knowingly
impossible
to
achieve.
The
prosecution has been unreasonable
to
withhold
requested
documents
that
I can
adequately
provide
a defense
to my
case.
There was certified
lefiers
sent
to the
State trooper
office
has been
uncooperative
to
provide
me
police
reporVnotes
the traffic
stop
on 311812015
statements/conversations
betu'een
Ms.
Gooding
and
Sgt.Burton
concerning
the
identity of
the
Officer
who stopped
Ms. Gooding.
Under
these
non-cooperative
circumstances
my case should
be dismissed.
The
justice
system
suppose
to
be fair, colorblind
and
unbiased,
I
should
receive a
fair trail
rvith
the
ability
to
be competent
and
free from chronic
pain.
I
believe
that I am standing
in
trail
7/26/2019 Writ of Centiorari Attachments
2/13
because
I
am exercising my
rights of
rvrongdoing
by a
pubiic
serr,'ant.
Such incidents
are
happening
nationally that
I
am criminalized fbr
being
bom
who
I
arn
and
disablcd
against
a
system
who
doesn't favor
a
person
such
as
myself.
Even
though,
I
am 47
yeals
old never
been
served
time
in
jail
however
nominated by
political
leaders
on several
political
boards. Received
many honors
such as
(Congressional)
serving the
public
and
received
a
Master's
degree
in
public
administration
before I
became
disabled. The unfaimess is
that
I
am
born
and fighting
a system
who has
been
historically
unequal
unfair
to
persons
as
myself.
The
ruling
has
al
y
been
made the day
I
file and it's impossible
to defend myself unprepared
due to
my di and not
receiving
documents
I requested
for discovery.
2l
7/26/2019 Writ of Centiorari Attachments
3/13
2l
STaTE
s.\TToI.\EY
JOHN J,
\1CC-\RTHY
Stzrte's Attornel' for
)Iontgonler-l'
Counn
50 }{aryland
Avenue
Rockville,
N{ary'land
20850
(210)
777_7300
Fax
(240)
777-7413
TTY
(240)
777-74ss
\l'ry\y.
com mun ity p
rosecution.
o
rg
Dar,- f
:T.1T:
s ir
L1LR1
Cti
tia
TiR
II:\:\
Decernber
6,2015
MERCEDA
GOODING
706
CLOOPER ROAD,
APT
32
GAITHERSBURG,
MD
20878
RE:
S'fATIl OIr MARYLAND
VS.
NIERCEDA
GOODING
Criminal Number: 127795-C
-
Discovery
Dear Ms.
Gooding:
Disco"'ery
materials
are
included
in
this
packet.
Enclosed
in the materials
are
the
record
t}orn
the District
court and documents
numberecl
1-8.
These materials
are
provided
in
contemplation
of
satisfyir"rg our discovery obligaiions under
the Marylancl Rules
of'Procednre.
Also
included in this
packet
is
the
list
of
potential
r,vitnesses
to be called
by the State.
If
),on
u'isl.r
to examine any of the
physical
evidence
r.vhichthe
State intends
to use
attrial,
please
contact
me
to schedule a
rrutually
convenient appointrlent rvith
the appropriate
personnel.
PLEASE
NOTE THE
FOLLOWING LIST
OF POTETVTIALWT"INESSES
TO
I}E
CALLED
T}Y
THE
S'TATE:
I\lARYLA}II)
ST,\-|E
TROOP[R
KYLE
KNOWI,TIS
You
rnay
not
rely
on this
lis1or
the
subpoenas issued on
rcquest
tiom
the
State's
Attorney's
Ofllce.
If
you
rvish
to call
an1,
o1'the rvitnesscs
listed
above.
)'oll
must
rcquest
a
subpoena yourself'.
If
there
is
a
charge fbr
any
of
the discovery
material
being
provided,
please uakc
1,'our
check
payable
to
Montgornery
County,
lv{D.
NO
Cr\SFI
ACCEPTED.
I
rcqLiest that
-vou
produce
noticc
ol'any
intention
to
reiy cn
a def'ensc of
not
crirlinally
re
sponsibie by rcason
of
insanity.
I firrthcr
reciuest
that
1,ou
produce,
as
to
each
rvitncss
(other
than the det-endant)
that
the
def'er-rse
intends to
call
at any hearing or a1trial,
the nerme and adclress
o1'the
rvitness
and
all
7/26/2019 Writ of Centiorari Attachments
4/13
statentents
of
each such
*,itness
that
relate
to
the subject
matter
of the
rvitness's
tcstimony.'l'hese
statements include both
rvritten
statements of
the
rvitness
and oral stateurents that
are
memorialized in rvriting
or audio
recordings.
I
further request
tirat
you producc,
as
to each
expert
rvitness
that the defbnse
intends
to
cali
at
any hearing or
at
trial,
the
name and address
of
the
experl
rvitness,
the subject matter
on
u,hich
the experl
n'ill
testify, the substance
of
the findings and
tl-re
opinions to
rvhich
the
expert
rvill
testify, a summary of
the
grounds
of each opinion to
ri,hich
the
expert
rvilltestify,
and
the
substance
of
any oral reporl
or conclusion
b,v
any
such
expefi. I
furlher request
that
1,ou
produce
and
permit
the
State
to
inspect
and
copy all
rvritten
repofis and statements
made
in
connection
rvith
this
case
by each expert that the def'ense intends
to
call
at any
hearing
or at trial.
I turther request
that
you produce
the namc
and
address
of:
each
rvitness
that
the defense
intends
to call
at
any
hearing
or
at trial
to testify
as
to
the
def-endant's
veracity or other
relevant
character trait; each rvitness
that the def-ense
intends
to
call
at any hearing or at
trial
to shorv that
the
defendant
was not
present
at the tirne"
place,
and date of the ofibnse as described in
the
materials that
are
provided
to
you;
and, each
rvitness (other than the defendant) that
the
def-ense
intends to call at any hearing or
at
trial
in support
of
a det-ense
of not
criminally
responsible
by
reason
of
insanity.
I
turther reqnest that
you produce
and
permit
the
State
to
inspect,
copy,
and
photograph
any documents, computer-generated
evidence
as
dehned
in
Maryland Rule 2-504.3(a),
recordings,
photographs,
and other tangible things that the
delense intends
to
use at any hearing
or
at
trial.
As
to
each
of
these
reclucsts,
I
expect thzrt
the
request
rvill
be
cornplied
rvith in
a timely
tashion
pnrsuant
to Maryland
Rule
1-263(h)
(2),
rvhich
provides
that the detbnse
shall make
disclosure
"no
later than 30
days
befbre the
lrrst
scheduled
trierl
date."
and
pr-rrsuant
to Maryland
Rule
4-263O,
rvhich
provides
that
a
rcsponse shall
be
prornptly
supplemented
rvith
lurther
material intbrmation. Furthermore, the
State reserves the right
to
request, at a
lllture
time, the
discovery
availablc to it under Maryland Rule
4-263
(t).
Please
advise
n-ie
irnmediateii'if
this is nct satisthctcri'.
Sincerely,
John J.
McCarthy
St;rte's
Attorney
tbr
By:
hssistant
State's
Attorney
l,4ontgomery
Cor-rnty. Marylancl
Katherine
Getty
\-J
7/26/2019 Writ of Centiorari Attachments
5/13
IN
THE CIRCUIT
COURT
FOR
MOI.,ITGOMERY
COUNTY, MARYLAND
COUNTY OF
hioNTGOiliERY
Plaintiff,
vs.
MERCEDA
D.
GOODING
Defendant.
REQUEST
FOR
DISCOVERY
Court
Docket
No.
127795C
Citation
Number:
001
30MF7
Date
Issued:311812015
Police
Agency:
MARYLAND STATE
POLICE
BARRACK
"N"
ROCKVILLE.
Citing Offrcer:
TROOPER
KLYE KNOWLES
Badge
No.
#6488
Sergeant:
BURTON
Badge
na: #0407
Prosecuting Agency:
State
Attomey for
Montgomery
County, Katherine
T.
Getty, and
Assistant
State
Attomey
TO
TI{E ABOVE-NAMED
POLICE
AND
PROSECUTING
AGENCY:
1. The above-named
defendant
hereby
requests that
you
provide,
to
the defendant
whose
address
is indicated below,
copies of any and
all relevant written or
recorded statements
of
witnesses,
including any
statements/conversations
between Trooper
Kyle
Knowles and
Ms. Merceda
Gooding
during the
stop on 3/1812015,
diagrams, or drarvings
made by the citing
officer
on
an,v
piece of
paper/notes--including the
reverse of his/her copy of
the citation--or
other
tnedium
of
information
storage.
2.The following
written/and
or phone calls/ recorded
statements
from
the
citing officers'
superior Sergeant
Burton
#0407
on3ll8l2015
3. Provide
all evidence such
as
notes,
phone
calls, conversations
and complaints
relevant to this
case
against the
defendant
Ms. Merceda
Gooding.
CERTIFICATION
I
HEREtsY
C
,'l'lFY,
on
this I
3tl' day of December,
201 5, a copy
of the
above
discovery
request
iled
to
l.ieutenant
Pickett,
7915
Montrose
Road,
Rockville
MD 20854.
706
Clopper
Road,
A
Gaithersburg,
MD
2
Tel:
(240)
246-7148
7/26/2019 Writ of Centiorari Attachments
6/13
ffi
UJ
'>f -
,d
ffi
{}
LU
ffi
Lr)
C3
.\J
C)
-r)
C3
IN
THE CIRCUIT CGUR?
FOR
COUNTY
OF
MC}dTGCIil;:ftY
Plaintiff,
vs.
MERCEDA D.
GOODING
Defendant.
REQUEST
FOR DISCOVERY
f'i:Oi{TGCIfEt
E
RY
CO
U
}}TY,
MARYLA$J
D
Court Docket
No.
L27795C
Citation
Number:
001 30MF7
Date Issued:311812015
Police
Agency: MARYLAND
STATE
POLICE
BARRACK
"N"
ROCKVILLE.
Citing
Officer:
TROOPER
KLYE
KNOWLES
Badge No. #6488
Sergeant:
BURTON
Badge
no: #0407
Prosecuting
Agency:
State Attorney
for Montgomery
County,
Katherine T.
Getty, Assistant
State
Attorney
TO THE
ABOVE-NAMED
POLICE
AND
PROSECUTING
AGENCY:
1.
The
above-named
defendant
hereby requests
that
you
provide,
to the
defendant
whose
address
is indicated
below,
copies
of
any and
all
relevant
rvritten
or recorded
statements
of
rvitnesses,
including
any
statements,
diagrams, or drawings
made
by the
citing
officer
on
any
piece
of
paper-including
the
reverse
of hislher
copy of
the
citation----or
other
medium
of
information
storage.
2. The
following
written
or
recorded
statements
from the
citing
officers'
superior
Sergeant
Burton #0407
on
3 I
181201
5
3. Provide all
evidence relevant
to this
case
against
the
defendant.
CERTIFICATIOI{
Eri
.ae
I HEREBY
CERTIFY,
on
this 30e
day of
November,2015,a
copy
of the
above
o
)n
^^"^*r
ranrraat ,,,^^ .l^l:-,^-^l +^ r.7
^+1^^-:-^
T v
-.a. -
a
-
'-
-r
L d- I
3l s.ou..y
request
was
delivered
to Katherine
T.
Getty,
Assistant
State
Attomey
50 Maryland
3
Svenue
Roc,kvillp,
MD
20850
5? ltl
o
,C
+1
Defendant
,
Apt.32
*Hfbrceda
8&ectopper
aithersburg,
Telz
(240)
246-
20878
7/26/2019 Writ of Centiorari Attachments
7/13
IN
THE
CIRCUIT
COURT
FOR
COUNTY
OF
Ilfi
C
NTGO$,;ERY
Plaintiff,
vs.
MERCEDA
D.
GOODING
Defendant.
Fr:Oil, TGOMERY
COUilXTY,
MARYLAN
D
REQUEST
FOR
DISCOVERY
Court
Docket
No.
127795C
Citation
Number:
00130MF7
Date
Issued:3118/2015
Police
Agency:
MARYLAND
srATE
poLICE
BARRACK
"N"
ROCKVILLE.
Citing
Officer:
TROOPER
KLYE
KNOWLES
Badge
No.
#6488
Sergeant:
BURTON
Badge
no: #0407
Prosecuting
Agency:
State
Attorney
for
Montgomery
County,
Katherine
T.
Getty,
and
Assistant
State
Attorney
TO
THE
ABOVE-NAMED
POLICE
AND
PROSECUTING
AGENCY:
1.
The
above-named
defendant
hereby
requests
that
you
provide,
to
the
defendant
rvhose
address
is
indicated
below,
copies
of
any and
all
relevant
written
or
recor6ed
statements
of
rvitnesses,
including
any
statements/conversations
between
Trooper
Kyle
Knorvles
a1d
Ms.
It4ercecla
Gooding
during
the stop
on
3/1812015,
diagrams,
or draw'ings
made
by
the
citing
oftlcer
on
any
piece
of
paper/notes-including
the
reverse
of hislher
copy
of
the
citation---or
other
medium
of
information
storage.
2.
The
following
rwitten/and
or
phone
calls/
recorded
statements
lrom
the
citing
oft-rcers,
superior
Sergeant
Burton
#0407
on
3/l Bl20l5
3.
Provide
all evidence
such
as
notes,
phone
calls,
conversations
and
copplaints
relevant
to
this
case
against
the defendant
Ms.
Merceda
Gooding.
IHEREBYCERTIF-Y,onthis@r,20|5,acopyoftheabove
discovery
request
rvas
mailed
to
Katherine
T.
Getty, Assistant
50
Maryland
Avenue,
Rockville
MD
20854.
3,2015
ng,
Defendant
706
Clopp6y'Road,
Apt.
32
MD 20878
Tel:
(240)
246-7148
Merceda
Gaithe
7/26/2019 Writ of Centiorari Attachments
8/13
State
of
illari'lar:C
Nlaryland
State Police
Lieutenant
Daniel
C.
Pickett
7915
Montrose
Road
Rockville,
MD
20854
November
7,2015
Merceda
Gooding
706
Clopper Road, Lpt.32
Gaithersburg,
MD 20878
RE: Request
Police
Report 3/18/2015
by
alleged
Trooper
Kyle D.
Knowles #6488
Dear Lieutenant
Daniel
C.
Pickett:
I
received
a letter from Lieutenant
Daniel
C. Pickett
dated
October
20, 2015
that'I"rooper
Kyle
D. Knowles
was
the
officer
that
conducted
a traffic
stop on
311812015 against
(me)
Merceda
Gooding.
I am requesting
a
police
report
for
that
traffic
stop
which
happens on3/1512015.
I called the
Barrack'N"
Rockville
on Friday,
November
6,2015 and
I
was informed
that
there
is
no
police
report
created
on
3i 1812015
however
I left
a
voice
message
for
(you)
Lieutenant
Daniel
C. Pickett.
I
appreciate
you're your
cooperation
in
producing
me
the
police
report
on 3/1812015
pertaining
to
(me)
Melc_eda
D. Gooding.
CC:
Certified
'er
70
I 2
292000A0 I
07 65
272 3
7/26/2019 Writ of Centiorari Attachments
9/13
Re-quests
for-accommodation
should
be
submitted
to
the
court not less
than
thir0
(30)
days
befbre
the
procEeding
for
r+'hich
the
accommodation
is reouested.
Spectltc
case-related
questions (e.g.
postponements)
should
not
be made
on this
form.
*If,jg E counr
oF AppEAL,s
Ecounr
oF
spECrAL
AppEALS
'ffiil'ilE
L-lctRcutr
couRr
EorsrRrcr couRr
oF NTARyLANo
ron
Y-9Iq:I:g_9_g_y:_ry_
CiNr(.-our]"
L
ocated
ut
_i_?]-[.jg&S
gl
_ll_e.91
Bgc_Ivi
I Ie,.M
D 2
08 5
0
STATE
OF
MAR'LAND
:
-------'-f;;,\dd,.;---=
or
Case
No.
-o-q ]-q -I7--
-
l's.
____
IFiqsQ9_q-o_4lre
Defendmt,
Respondent
REQUEST
FOR ACCOUMODATION
FOR
PERSON
WITH
DISABILITY
Requests
for
accommodation
should
be
submitted
to
the
court
not
less
than
thirty
(30)
days
before
the
proceeding
for
which
the accommodation
is
requested.
N
ame of
person
ne edi n
g
acc ommodatl
on :
- qlg$?_-Q_qg{i{,9__ _
Name
of
person
requesting
accommodation
(if
di{Ierent person):
Person
needing
accommodation
is:
B
rarry
I
witness
f
Juror
I
Attorney
f]
Victim
I
Victim's
Representative
f1
Other
(specify):
Applicant
requests
accommodation
under
Americans
with
Disabilities
Act
(ADA)
as
follows:
l.
Type
of
court proceeding:
r
criminal
r
cluit
E
rraffic
r
Juvenile
r
Farnily
I other
(specify):
2.
Hearing/Trial
date
(if
any):"idY-2:a..aq15-
-."".
__-
-_
Time:
-1.9__Opfp-..*-_".
3.
Nature
of disability
or impairment
(specifu):
lftli+S
q{sBgq-rg-19-1g-gef1g&
lf{d_qtgT_e_pl9}_Leg
4.
Type
of
accommodation(s)
requested.
ee
specific. -hglt9- I1-d-o:yg_g a{_ g.qJ_d_gr g-of_uyt:l_gg,--,".
.Qgll."-q-'lg-9.ry9b.e$lp9"" -l*p-e$ :rt-(g1elq.'rr-e.gvr9 1"_l3lLvjn.d_g-ol9ls-9 9__
_
lijir;4tffi]{i{$ :ulrffiBiT::rffitrfi;ri..d,?"pilrsru:itl*irl#e,:t*Ir"iH?i:i;
equestrng
a spoken
language
interpreter.
please
use
form
cc-DC-041
BLS.]
Plaintifl,?etitimer
5. Please
provide
any further
information
that may
assist
the
court in providing
a
reasonable
accommodation
(specift):
_-..___-._-___.
B I
request
that
this information
be
kept
confidential
to
the extent
al
I
certifu
that
to
the best
of my
knowledge
rhis
inlormation
documentation
if required
by
the court.-
6t22l20ts
Date
lp-q=qtepps3geq-4$,-llgtltqrybr.rs_ryI_o*?]_s: g
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\ame
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,\ddre5s
Far
6t22tz$t5
---
f;Gtffi;\-muei
-
2A878
aithers
CiR.
srate, Zip
The
clg{k's
office
and the
ADA
Coordinator
are available
to
ide
further
assistance.
I
The
request
for
accommodation
is
GRANTED:
or -
The request
for
accommodation
is
DENIED.
Applicant
does not
quali$
under
the
ADA.
It
would
fundamentally.al.ter
the
nature
of the
service.
program,
or
aitivity
under
the
ADA.
It
woulrl
create
an undue
burden
on the
court
under
the
ADA.
I
Altemate
accommodation(s)
GRANTED
(speci$):
n
tlatc
trag.leo**i"*,;i;ofE;;;i
'
'
If you
disagree
with
this
decision,
you
can file
a
Grievance. (Form
CC-DC-050
is
available
lor
this purpose.)
CC-D'C-049 (Rev.
l/2015)
il
L-l
:.o"pravrde
medical
7/26/2019 Writ of Centiorari Attachments
10/13
i *
^**^r-+i^-
-u^,,r;
h:
rr:hrniiierl to
th.3
Court
noi
le ss
than
i
I
-*.*..
i.r
accommodation
should
be s'-lbmiiteci
to
the
court
noi
le ss
than
i
tlri.+,
Gij'*"r]
t".r.rJi".'f;;;;i"g
i;,
"r-,i.'"
the
accomnrodaiio.t
is reqrtesied
i
Specific
..s.-,.Lui.'i;;.;,';;;i;;:'F"i;;;;;;;i;)-'filC
not
be
made
on
this
I
l:ri,3:;T:
;I,
i,J ;;
i;t
:';"'i;;;:';:
;i;)
-'h;i;
not
be
made
on
th
is
rorni
I
Tlpe
of
coun
Proc
t
..]
Ciininal
---l
L1 LI
,TATE
oF
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?l:ie;ii?:linoner'Deiendmi'R::pc:rc::rtl)
REQUESTFoRACCoMMoDATIoNFoRPERSoNWITHDISABILITY\-/
Recr-rests
ior
accomrnocation
should
be sr-Lbr|'ined
Io
tne
cotlri
notiess
than
thinf
i30l
pal; before
ihe
I:;i..ii"ji;;;:;i;[.';;'o---'a''1"'
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----
-Pky-qItt*['-iA-
*
,
\
Nameoi'personrequestingaccomnodaiior(iidiiferentperson):-\J--
pe
rson
ne
ecing
accommoiation
is:
i-l
parl
I
r,i,'itn.ss
tr
JLrror
E
Anorr's)
[l
vicrirn
I
victim
s
Representarive
'$otnet
(seeciR)--_De-
Itid'Uv'f-
Applicani
requssis
".;;;"#lcn
Lrnder^.tnencans
r,iirh DisabiiLries
r\ct
(ADA)
as
foiio*s:
C{
{i
cc
C\J
:
7/26/2019 Writ of Centiorari Attachments
11/13
R-eouests
for
accommodation
should
be submitted to the
court not
less
than
rhirrv
(30j
davs
betore
the
proceedine
fo:
rihich
the accommodation is reqt:ested.
Speiiirc
iaselrelated
questions
(e.g.
[ostponements)
should not be
made on
this
fonn.
)1.{RYL{ND
N-
.-t-?1)
JUD]CI,\R\:
i.
Type
of
coun
proce.edjrng:
E
Criminal
E
Ciuit
Nfztraffic
I
Juveniie I
Famill'tr
Qther^($ppiiy):
3. Hearing/Trial
dat:1ir[any;:
,- 3:4?fn
3.
Natr-rtre qidisabiliry
o, i.iui*.,,t
fspe.ir.rl
-l-u*n
-lZer
++X^."-
*ogLYNP
Vr
ztta r\\-t N*ol t Dcr
w-
ola fi(ats{--
-
,
Plainri
IiPeri rioncr
De
fende R.sponde
REOUEST
FOR
ACCOMMODATION
FOR PERSON
WITH
DISABILITY
Requests
lbr accommodation
shor-rld
be
sLLbmined
to the cotirt not
less
than thirty
(30)
pays
belore
the
proceeding
lor
rvhich
the
accommodation
is
requested
Nam:
ot' Derson
ne:dine
accommociation:--
Name
of
person
requesting
accommodation
(if
different
person):--
Person
needing
accommodation
is:
I
earty
I
Witness-
I
JLrror
E
Attome]'
T
I
Victim's
Representative
ADA)
as follorvs:
orrect.
{agrfle
to
provide medical
VS
clerk's
otfice
and
the
ADA
Coordinator
are
available
to
provide
further
assistante
The
request
tbr
accommodation
is
GRANTED;
or
n
tne
request
for
accommodation
is
DENIED.
Alternare
accommodation(s)
GR{NTED
(specifl):
f,
Applicant
does
nol
qualif'
under
the
ADA.
I
It',vould
fundamenially
alter
the nature
of
the
sen'ice,
program,
or
aitivity
under
the ADA
ll it
w'ouid
create an undue burden
on
the coLrrt
-
under
the ADA.
ffi
UJ
h
rrx
UJ
*t
ir
bdf,
diJ
dR,
u,"
a1-,
O
EJ
n_
L1J
U1
Fer
The
T
T
D at:
If
;''ou
disagree
',vith
this
decision,
CC-DC-0-19
(Rev. l/20
1
j)
Judg:,'A&rinisrraiive
Oticial
you
can
file
a Grievance.
(Form
CC-DC-050
is
available
for
this
purpose
UR
CT COURT OF
I'IARYL.A.ND
FOR
Case No.
RC
ied
IE
IR
aie
.TI
tr
STA
UIT
al-
OF
JD
ND
n
)__
AN
RT
x
ILI
COU
I
dAR
vt.
or
-
[i
r:questing
a sign
lg/guAge
interflreter,
specr]
rype:
American
Sien
Laneuage
intepreter
)
C.;ii;.i'D.-ri
in?..p-r.tEr
(e
oti.
ortonmLrnica:ion'Access
RealTim-e_Tranilati"on
(CART).
If,
Iting
a
spoken
langudge
interpreter,
pl:a;e
r-tse
fonn
CC-DC-041
BLS.]
#6m*oa=tion
(specir1,):
19,-1f,
WusLetrugut-vuz4-LJ-at+te-9&gda,
W i:ri.tJtrar
th'is
informarion
be
klpt
conflidentia*o
the
extent
a
I
cenirri rhat
to tne tesl
of my knorvledge
this
inflorrnation
i,
tr[,.
unc
dccunint::io
t
if ::gtpl
by.tlr;
-ccLrrt.--
I a
>ot5
'L,la"
.-
Ciry,, Srare, Z
4&
rr
Bn..
o1
ul.onr-odution(s)
reqpesied.
Be
7/26/2019 Writ of Centiorari Attachments
12/13
i,i--
ff-;1r.-:
,
*
,IR
i':
v v
Circuit
Court for
Montgomery
County,
Maryland
Off
ice
of
the
Assignment
Commissionejr
50
N4aryland
Avenue,
Room
1OO3
Rockville, Maryland
2OB5O
(240)
717-9000
November
20,
2015
"
,:
,,
l
Notice
of
Pending
Evehts
t n11\
Case# 121195-C
STATE OF MARYLAND
vs.MERCEDA DORIS
GOODING
Having
entered
your
appearance,
please
be advised that
the
following
events
have
been
previously
scheduled
in
this
case:
tl/t6/tntc
oR'rO
AJ",l
TRrAL
-
COURT
i
iiour
i1i:3.2a a
A
motion
and
order
to extencl hearing
or
trial
Iength may be required.
Please
consult
the
monitors
on
the
lobby
level
for
your
courtroom
assignment.
Handicap
parking
for
the
Montgomery
County
Circuit
Court
is
located
along
Maryland
Avenue
near its
intersection
with
Courthouse
Square,
Please
direct all inquiries
to the
Assignment Office.
Possession
and use of cell
phorres,
computers,
other electronic
devices,
and
cai-neras may be
lirnited
or
pronibite
in designated areas of the Court
facility.
The use
of
any camera,
cell
phone,
or any
elecironic
Cevice {or raking,
recording,
or
transmitting
photoQraphs.
videos.
or
other visual images is
prohibited
in
ihe court facility at a rln-es
unless
the court expressly
grants per
missioi'r
in a specif
ic instance.
FflLffiM
t,iOv
2
0
2015
Cterk of
the Oircuri Couri
Montgomery
County,
l,4ci.
7/26/2019 Writ of Centiorari Attachments
13/13
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