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Your name

P.O. Box 33333


Washington, Washington 99999

Arizona Superior Court


State of Arizona
plaintiff,
vs.
Your name,
defendant

) Case #**************
)
)
) Request for discovery and Brady Request
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)
)
)
)

Comes now alleged defendant Your name who hereby requests counsel for the alleged plaintiff to
provide discovery All my interactions with government employees are under threat, duress and
coercion, only to avoid further aggression against me and are not a waiver of jurisdiction. This is also
a Brady request. Alleged defendant requests the following:
1. The names of every witness the prosecution relies on to prove:
A. Alleged defendant's presence within the plaintiff State of Arizona;
B. Alleged defendant's presence within the City of Phoenix;Alleged defendant is subject to the
laws of the plaintiff State of Arizona;
C. The constitution and laws of the plaintiff state apply to alleged defendant just because
alleged defendant is physically in Arizona;
D. A valid cause of action (injury and damage, corpus delecti) has been presented to the court.
2. The name of any witnesses who are experts in the interpretation and application of Arizona law,
including Arizona traffic laws, the prosecution relies on.
3. Any and all evidence, known to the complaining agent proving alleged defendant was present
within the plaintiff State of Arizona.
4. Any evidence (facts, not argument/allegation/opinion), known to the complaining agent proving
alleged defendant was within the City of Mesa.

5. Any evidence (facts, not allegations/opinions) alleged defendant is subject to the constitution and
laws of the plaintiff State of Arizona just because alleged defendant is physically in Arizona.
6. Any evidence (not allegations/opinions) a valid cause of action (legal injury and damage) has been
presented to the court.
7. The names of any other witnesses with personal first hand knowledge the prosecution relies on to
support any element of the alleged crime or cause of action against alleged defendant and which
elements the witness is specifically relied on to testify to.
8. The police officers reports and notes regarding the stop and arrest, including any video/audio
recordings of the stop, such as a dash cam video. This includes true copies of the original complaint
written by the police officer submitted to the court, front and back.
9. Evidence you have to prove the witnesses relied on have personal, first-hand knowledge of the
matter(s) they are to testify to.
10. The names of any witnesses relied on by the prosecution that have been dishonest during
investigations and trials and anything relevant to guilt or punishment and is exculpatory or favorable to
the defense. This includes, but is not limited to any information regarding the truthfulness, bad
character and reputation of any of the prosecutions witnesses. This includes, but is not limited to all
criminal records, contempt citations, incidents of violence and any history of mental illness. This also
includes any complaints filed against witnesses who are government employees (i.e., police), whether
or not the complaints were investigated or subsequently confirmed.
11. Any material including, but not limited to videos, audio recordings and written reports that may be
used to impeach prosecution witnesses. This also includes information from personnel files from
police and investigators; any information that calls into question the witnesses' credibility, e.g.,
performance evaluations, disciplinary write-ups and internal affairs investigations that concern a law
enforcement employee's truthfulness, bias, or moral turpitude.
Submitted this ______ day of _______ 20___
__________________________________________
Your name

Certificate of service
This is to certify that a true and correct copy of the foregoing has been mailed this ___ day of
___________ 20__, to the plaintiff at the following address:
Name
P.O. Box
Phoenix, Arizona 85007
_________________________________

Your name

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