
San Andreas Judicial Branch
Superior Court of San Andreas
"EQUAL JUSTICE UNDER LAW"
COURT DECISION
Motions for Suppression, Voluntary Dismissal & Continuance
IN THE SUPERIOR COURT OF SAN ANDREAS
State of San Andreas v. Joey Casper
#24-CM-0040
A decision was reached in the above case on the 3rd day of August, 2024.
Motion to Suppress
Exhibit #2
The Defense has requested multiple exhibits to be suppressed. In their first request, the Defense argues that Exhibit #2 did not follow correct formatting, citing precedent set by Justice Colt Daniels on #22-CM-0036. The Court will not address the arguments presented by the Prosecution, given that the Defense attempts to apply precedent mistakenly, particularly because the ruling determines that any witness statement that does not include the witness affirmation will not be admissible in Court. In this case, however, the Witness statement does not include the reference to the case number, which, in the opinion of the Court, does not make the exhibit subject to suppression. In practice, many of the witness statements provided are requested of public servants when cases haven't been activated, and thus, not assigned a docket number. The Court believes substance must prevail over form in situations like these. Therefore, the Court denies the first motion to suppress.
Exhibit #2 - Subsidiary
The defense presented a subsidiary request to suppress portions of Exhibit #2 for it including a description of events provided by Dante Archer that took place when he was, according to the report, under treatment in the hospital. The defense argued that he had no personal knowledge of what was requested to be suppressed and thus, requested it be suppressed on the grounds of speculation or [hearsay]. The prosecution argued that the author of the statement would have been privy to the defendants opening fire at him and fleeing the scene, and eventually they would gain knowledge of the arrests given that there were arrest reports filed for these. The Court believes that it is possible that Lieutenant Dante Archer had first hand knowledge of sections of the events and the subsequent arrest reports, and thus, will suppress the following statement: When visual was gained (...) resulting in the shadows to shoot at the deputies pursuing them. If they didn't surrender they were shot down by deputies and taken into custody.
Exhibit #4
The defense requested the suppression of exhibit #4 on the grounds that the source was not cited. The Prosecution clarified that Exhibit #2 makes direct reference to the source of said exhibit, and thus the Court will not be suppressing exhibit #4.
Exhibits #5 & #6
Subsequently, the defense requested the suppression of Exhibits #5 and #6 due to them lacking relevance and, instead, the Prosecution being able to obtain evidence that would better serve the purpose of proving the defendant's responsibility in regards to the alleged crimes. The Prosecution argued that the exhibits were provided as supporting information to Exhibit #2. The Court believes that the contents of these exhibits are not a matter of pre-trial discussion, given that the Prosecution is utilizing them to provide context and clarification around the alleged events that led to the defendant's arrest, and thus, will allow them to stay on the docket.
Motion for Involuntary Dismissal
The defense presented a Motion for Involuntary Dismissal on the grounds that the Prosecution was failing to produce an arrest report that was ordered by the Superior Court. The prosecution argued against the motion affirming that the Prosecution was not willingly failing to execute a Court order, but rather, they were materially unable to do so as they do not have access to it and for reasons beyond their control they could not produce it.
Motion for Continuance
The Court believes the reasons presented for the Motion for Continuance -which received no objection- have ceased to exist, and thus, will not evaluate it and move towards a denial.
So ordered,

Superior Court Justice
Director of the San Andreas Bar Association
San Andreas Judicial Branch
(909) 553-8869 — [email protected] 