#23-CM-0008, State of San Andreas v. Akio Yamada

Akio Yamada
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#23-CM-0008, State of San Andreas v. Akio Yamada

Post by Akio Yamada »

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Defendant Name: Akio_Yamada
Defendant Phone: 396-9888
Defendant Address: N/A Homeless
(( Defendant Discord: Akio#0224 ))
Requested Attorney: anyone
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Charging Department: SD
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Date & Time of Incident(s): 29/SEP/2022 17:45
Charge(s):
  • Operating a chop shop
  • Resisting arrest
  • Grand Theft Auto
  • Trespassing
Narrative:
Myself and Aya are relatively new to the city. We decided to take our cars and go for a drive, going to Fort Zancudo and having a look around. Inside we found a small shed with a car which took our surprise so we began having a look around for quite some time. As we got in our cars to leave, SD ran in with heavy weapons and began screaming to get out of the car to which I complied. I got out of the car and had my LEGAL firearm on my hip to which I notified the police about. They asked me to kick it away which I slid it across the ground and did not resist cuffs. They were rude and did not even attempt to ask our sides of the story. So my car was searched, I complied until when I asked questions, no one answered leaving myself and Aya scared, we have just come from Japan where we are scared of the new systems so we decided to run. This wasn't out of resisting it was out of fear. I admit that I ran and we had no idea that this was a location as to where we weren't allowed. As for stealing the car, I never stole the car. PD/SD will not have proof either as to my knowledge prints were not taken, we was not seen in the stolen vehicle and we did not enter the stolen vehicle. Aya attempted to drive off in her car and I was in my car.

I don't understand half of these charges, I admit to resisting arrest as I ran in fear and I admit to trespassing as I assume this is a place we're not allowed to be, however a question I have, why would I dare do something when I have a legal firearms license and a property request for my dream Japanese Sake bar at stake?

They searched myself and my car, finding items that are using for fixing cars such as car lifts, engine lifts, car jack and a few other items. These are there for me to do repairs to my own vehicle and to where I can practise taking apart my own bike and putting it back towards with better modifications in my spare time as this is a small hobby of mine.

Subsequently, this has caused me to be at a loss of around 70K.


I, Akio Yamada, hereby affirm that all information provided above is true and correct to the best of my knowledge, and understand that knowingly providing false information could result in additional charges and/or fines. (( I affirm that all information submitted has been obtained via In-Character means. ))
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Last edited by Akio Yamada on Mon Nov 07, 2022 1:13 pm, edited 3 times in total.
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Roderick Marchisio
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Re: State of San Andreas v. Akio Yamada

Post by Roderick Marchisio »

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San Andreas Judicial Branch

Re: Akio Yamada
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  • To whom it may concern,

    The purpose of this notice is to inform you that as of this moment I, Roderick Marchisio, will be representing the State of San Andreas in all the proceedings pertaining to the underlying case.

    I will take it upon myself to reach out to the involved parties to collect and review all evidence in relation to the underlying case to ensure a proper and smooth continuation of this process.

Respectfully,


Prosecuting Attorney
San Andreas Judicial Branch
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Sarah Williams
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Re: State of San Andreas v. Akio Yamada

Post by Sarah Williams »

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San Andreas Judicial Branch

Re: tate of San Andreas v. Akio Yamada
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  • To whom it may concern,

    I, Junior Defense Attorney Sarah Williams, will be representing the defendant, Akio Yamada, in this case. I have made myself aware of the contents of this case and have made contact with the defendant. I am ready to proceed at the court's discretion. If I still require co-counsel by the time this case is activated, I will find it posthaste.

    Respectfully,

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    Sarah Williams
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Re: State of San Andreas v. Akio Yamada

Post by Sarah Williams »

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Re: State of San Andreas v. Akio Yamada
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  • To whom it may concern,

    I, Junior Defense Attorney Sarah Williams, will be withdrawing from this case due to a division transfer.

    Respectfully,

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    Sarah Williams
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Colt Daniels
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Re: State of San Andreas v. Akio Yamada

Post by Colt Daniels »

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San Andreas Judicial Branch

Superior Court of San Andreas
"EQUAL JUSTICE UNDER LAW"

NOTICE OF RECEIPT


IN THE SUPERIOR COURT OF SAN ANDREAS

State of San Andreas v. Akio Yamada

The court has hereby received and acknowledged the above case on 10 November, 2022.


The Superior Court of San Andreas has received your filing and the case is now pending activation. Be advised that the court system runs on a first-come, first-served basis and will only activate cases out of order for special circumstances.

During this time, the defendant is encouraged to reach out to a licensed defense attorney in order to prepare a proper defense, otherwise, a court-appointed attorney will be assigned to the case upon its activation.

The defendant is further encouraged to speak with an authorized individual at Rockford Hills City Hall, Mission Row Police Station, or Paleto Bay Sheriff's Office for official clarification on the specific charges received and their respective date and times, as once the case has been activated, any omitted charges will be considered abandoned and unable to be disputed within this case.



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Re: State of San Andreas v. Akio Yamada

Post by Roderick Marchisio »

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Re: State of San Andreas v. Akio Yamada
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  • Honorable Daniels,

    The Prosecution notes that after submission of the original appeal, it has been edited three times. As such, before the Order for Discovery is issued, the Prosecution would like to receive all prior versions of the submitted appeal.

Respectfully,

Senior Prosecuting Attorney
San Andreas Judicial Branch
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Re: State of San Andreas v. Akio Yamada

Post by Cyrus Raven »

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San Andreas Judicial Branch

Re: State of San Andreas v. Akio Yamada
"HERE FOR YOU | SAFE FOR YOU"

  • To whom it may concern,

    I, Chief Public Defender Cyrus Raven, will be representing the defendant, Akio Yamada, in this case. I have made myself aware of the contents of this case and have made contact with the defendant. I am ready to proceed at the court's discretion.

    Additionally, it is the Defense's understanding that the Defendant can alter their initial narrative and appeal as they see fit before activation or notice of receipt by the court. I will note that the last edit was done on the 07 Nov 2022, 13:13, before the NOTICE OF RECEIPT on the 10 Nov 2022. This case is still pending activation by the court. As such the prosecution has no grounds to request any previous versions of the appeal.

    Respectfully,



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Re: State of San Andreas v. Akio Yamada

Post by Roderick Marchisio »

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San Andreas Judicial Branch

Re: State of San Andreas v. Akio Yamada
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  • Honorable Daniels,

    In light of the argument made above by the Defense, the Prosecution would like to point out that a Prosecutor was already assigned to this case on October 2, thus starting the investigation by the Prosecution. As such, these edits could potentially hinder the investigation of the Prosecution and the outcome of this case.

    Further, the Prosecution notes that the Defendant undersigned the following:
    I, Akio Yamada, hereby affirm that all information provided above is true and correct to the best of my knowledge, and understand that knowingly providing false information could result in additional charges and/or fines.
    Given the above circumstances, the Prosecution is of the opinion it is not anything more than justified to receive all prior versions of the submitted appeal.

Respectfully,

Senior Prosecuting Attorney
San Andreas Judicial Branch
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Re: State of San Andreas v. Akio Yamada

Post by Shaun Harper »

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  • Honorable Colt Daniels,

    I, Junior Defense Attorney Shaun Harper, will be co-counseling with Defense Attorney Cyrus Raven and representing the defendant Akio Yamada in this case.

    Respectfully,

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Judith Mason
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Re: #23-CM-0008, State of San Andreas v. Akio Yamada

Post by Judith Mason »

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San Andreas Judicial Branch
Re: #23-CM-0008, State of San Andreas v. Akio Yamada

"EQUAL JUSTICE UNDER LAW"

  • To whom it may concern,

    I am Associate Justice Judith Mason and I will be the presiding over this case in my courtroom. At this point in time, I will be assigning this case to docket number #23-CM-0008.

    As it has been several months since the submission of this case, I would ask that parties confirm they are ready to proceed before an Order for Discovery is issued.

    To address the concerns regarding the editing of the initial submission, I will be locking the submission to prevent further editing from this point forward, but I will not be requiring that the defense present the previous versions of that submission.

    Respectfully,

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Re: #23-CM-0008, State of San Andreas v. Akio Yamada

Post by Shaun Harper »

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State of San Andreas v.
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  • Honorable Judge Judith Mason,

    Contact with the defendant has been made and they are willing to proceed.

    Respectfully,

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Re: #23-CM-0008, State of San Andreas v. Akio Yamada

Post by Judith Mason »

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San Andreas Judicial Branch

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#23-CM-0008
Presiding Judge: Judith Mason

ORDER FOR DISCOVERY


IN THE SUPERIOR COURT OF SAN ANDREAS

State of San Andreas v. Akio Yamada
#23-CM-0008

A court order was entered in the above case on 16 January, 2023.


The case of the #23-CM-0008, State of San Andreas v. Akio Yamada is hereby opened and acknowledged by the Court.

The prosecution is hereby ordered to provide all evidence collected from the arresting Law Enforcement Agency and submit it to the Court via Motion for Discovery within seven days. If additional time is needed, the prosecution can file a Motion for Continuance.

Once evidence has been submitted to the official docket the defense can begin filing motions.



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Re: #23-CM-0008, State of San Andreas v. Akio Yamada

Post by Shaun Harper »

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State of San Andreas v.
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  • Honorable Judge Judith Mason,

    The cases of ''#23-CM-0009, State of San Andreas v. Aya Kasumi'' and ''#23-CM-0008, State of San Andreas v. Akio Yamada'' seem to be about the same situation. Can these be fused into one case?

    Respectfully,

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Re: #23-CM-0008, State of San Andreas v. Akio Yamada

Post by Judith Mason »

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San Andreas Judicial Branch
Re: #23-CM-0008, State of San Andreas v. Akio Yamada

"EQUAL JUSTICE UNDER LAW"

  • Parties,

    I will allow the prosecution to respond on the option to join the case of #23-CM-0008, State of San Andreas v. Akio Yamada and #23-CM-0009, State of San Andreas v. Aya Kasumi. As Deputy Attorney General Marchisio is representing the State of San Andreas for both cases, I would ask that a response only be submitted to the docket of #23-CM-0008 to avoid redundant responses.

    Respectfully,

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Re: #23-CM-0008, State of San Andreas v. Akio Yamada

Post by Ruwin Korbel »

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Re: State of San Andreas v. FIRSTNAME LASTNAME
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  • To whom it may concern,

    I, Ruwin Korbel Shall Be Co-Counselling with Defence Attorney Shaun Harper and representing Akio Yamada in this case


    Respectfully,

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    Ruwin "Quiet" Korbel
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Re: #23-CM-0008, State of San Andreas v. Akio Yamada

Post by Cyrus Raven »

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San Andreas Judicial Branch

Docket Notice
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  • Honorable Judith Mason,

    I will no longer be acting as primary council for this case. This will be Attorney Harper's position. This is a notice informing the court that I will be acting as co-council for Ms. Yamada.


    Respectfully,

    Cyrus Raven
    Deputy Chief Public Defender
    San Andreas Judicial Branch
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Re: #23-CM-0008, State of San Andreas v. Akio Yamada

Post by Roderick Marchisio »

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Re: #23-CM-0008, State of San Andreas v. Akio Yamada
"HERE FOR YOU | SAFE FOR YOU"

  • Honorable Mason,

    The Prosecution wishes to keep both cases separate. However, as we do note the similarities of these cases and them originating from the same situation, we do suggest having the eventual trial for these cases on the same date.

    In case a more substantive answer is required for the joining of the cases, please let me know and I will provide it accordingly.

Respectfully,

Deputy Attorney General
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San Andreas Judicial Branch
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Re: #23-CM-0008, State of San Andreas v. Akio Yamada

Post by Roderick Marchisio »

Motion for Discovery
San Andreas Judicial Branch
Motion for Discovery

Honorable Mason,

  • We the Prosecution in the case below are presenting our discovery to the court.
    State of San Andreas v. Akio Yamada
    Assigned Court Case Number: #23-CM-0008
    Requesting Party: N/A
    Party Members: Roderick Marchisio
    Exhibit #1: Arrest Report Akio Yamada
    Type of Discovery:
    • Physical Evidence
    Spoiler
    All Information from the Discovery The arrest report as written by Deputy Hartwell of the Los Santos County Sheriff's Department gives insight into the situation that led to the arrest of the Defendant. In this respect, we specifically note to the section in relation to the details of the incident leading up to the arrest. In this arrest report, Deputy Hartwell indicates that the Defendant, in collaboration with another individual, was operating a chop shop inside a garage in Fort Zancudo. Upon confrontation, Akio Yamada attempted to evade using the stolen vehicle. Further, the arrest report indicates that the individuals were caught in possession of multiple pieces of mechanic equipment. For completeness' sake, the Prosecution would like to note that the charges of both individuals in the arrest report have been erroneously mixed up between the two individuals.
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      ARREST REPORT
      MUGSHOT
      SUSPECT 1 DETAILS
      • Full Name: Aya Kasumi
        Telephone Number: 4165001
        Licenses Revoked: Yes
        • Weapon
        Charges:
        • NM06 - Trespassing
        • VF03 - Operating a Chop Shop
        • GM04 - Resisting Arrest
        • GF11 - Grand Theft Auto
        How did the suspect plea to the above charges?
        Suspect pleaded guilty to some of the charges.
        Additional Details (Suspect's vehicle, etc.) :
      MUGSHOT
      SUSPECT 2 DETAILS
      • Full Name: Akio Yamada
        Telephone Number: 3969888
        Licenses Revoked: Yes
        • Weapon
        Charges:
        • NM06 - Trespassing
        • VF03 - Operating a Chop Shop
        • GM10 - Failure to Comply / Identify
        • GM04 - Resisting Arrest
        How did the suspect plea to the above charges?
        Suspect pleaded not guilty to all charges.
        Additional Details (Suspect's vehicle, etc.) :
      VEHICLES INVOLVED
      • Vehicle A:
      DEPUTY DETAILS
      • Full Name: Audrey Hartwell
        Badge Number: 9344
        Callsign: 12-E-17
      INCIDENT DETAILS
      • Date of Arrest: 2022-09-29
        Deputies Involved: Audrey Hartwell, Colt Black, Oscar Black, Tom Brown

        Provide details of the incident leading up to the arrest
        • Both suspects were spotted by Deputy Hartwell operating a chop shop inside of the garages in Fort Zancudo. We requested backup from the LSPD as we had few units available to respond. The LSPD assisted us in blocking off the area and pushing inside of the chop shop, where we caught Akio and Aya red handed operating a chop shop with a stolen vehicle. Akio was the suspect who tried to drive away in the stolen vehicle, and so was charged with Grand Theft Auto. Both suspects pleaded not guilty to operating a chop shop, even though they were caught red-handed inside of an active chop shop, and both tried to evade the scene once police arrived. Both suspects had licensed firearms on them. These firearms were seized and licenses suspended. Both suspects also were caught in possession of multiple pieces of mechanic equipment commonly seen at Chop Shops.
      EVIDENCE DETAILS
      • Note from Prosecution: refer to evidence exhibit #2
      ARRESTING DEPUTY SIGNATURE
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    Exhibit #2: Items as found on the Defendant
    Type of Discovery:
    • Physical evidence
    Spoiler
    All Information from the Discovery The items as found on both the Defendant and the other individual that was arrested contained a consaw, car jack, wrench, lockpicks, battery, screwdriver, lug wrench, car lift, engine hoist and a legal firearm. In this respect, the Prosecution notes that the Heavy Pistol that was found belonged to the Defendant. If required, the Prosecution can further provide the Form A Firearms' License Request that the Defendant filed on August 17, 2022 with the Los Santos Police Department.
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    Exhibit #3: Bodycam footage Audrey Hartwell
    Type of Discovery:
    • Physical evidence
    Spoiler
    All Information from the Discovery The bodycam footage as provided by Deputy Hartwell with the Los Santos County Sheriff's Department shows the Defendent, in collaboration with another individual, working on the stolen vehicle at 0:07 and further in the footage.
    Exhibit #4: Witness Statement Audrey Hartwell
    Type of Discovery:
    • Witness Statement
    Spoiler
    All Information from the Discovery The witness statement as provided by Deputy Hartwell with the Los Santos County Sheriff's Department further shows that the Defendant, in collaboration with another individual, was working on the stolen vehicle in a private garage on Government property, being Fort Zancudo. In her witness statement, following up on evidence exhibits #1 and #3, she further affirms witnessing the Defendant, in collaboration with another individual, using mechanical equipment and other tools to dismantle a vehicle. This witness statement also again confirms that both individuals attempted to scramble from the situation. Finally, in her witness statement, Deputy Hartwell confirms the story in the arrest report as per evidence exhibit #1.
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      San Andreas Judicial Branch
      Official Witness Statement
      "HERE FOR YOU | SAFE FOR YOU"
      Case Information
      • Case Number: [Case Number]
        Incident Date: [29/SEP/2022]
      Witness Information
      • Name: [Audrey Hartwell]
        Date of Birth: [10/MAY/1995]
        Phone Number: [377-1669]
        Occupation: Master Deputy
      Witness Statement
      • - Bodycam Footage Attached HERE
        - ((Proof of RP))


        Statement

        - As seen in the bodycamera footage attached above, I come across the two individuals using mechanical equipment around a stolen vehicle in a private garage on government property. I personally witnessed both suspects using mechanical equipment as well as tools to dismantle a vehicle, and some mechanical equipment originally inside the garage.

        - After the scene that is shown in my Body camera footage, Hunter and I stay nearby to the crime scene and call for assistance from the Police Department. PD and METRO arrive at Fort Zancudo soon after and assist us in moving into the chop shop, putting the suspects under gunpoint as they tried to scramble from dismantling their equipment, and into the red stolen vehicle. Thankfully, PD and SD had the place blocked off, which gave the suspects no other choice but to surrender and stop attempting to evade using the stolen vehicle.

        Visually, all deputies and police officers that were on the scene that I questioned agreed that the chop shop was active as we moved in to attempt to detain and arrest both suspects.


        The Arrest Report gives the same narrative, and is 100% the truth.
      Witness Affirmation
      • I, Audrey Hartwell, affirm that the above statement is true to the best of my knowledge and belief. I affirm that this statement has been made voluntarily, made without promise of reward, and made not under threat, force, or coercion. ((I affirm that all information submitted has been obtained via In-Character means.))

        Signed,

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        Audrey Hartwell
        Master Deputy
        Los Santos Sheriff's Deparmtnet

        Date: [13/NOV/2022]
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    Exhibit #5: Witness Statement Tom Brown
    Type of Discovery:
    • Witness Statement
    Spoiler
    All Information from the Discovery The witness statement as provided by Deputy Brown with the Los Santos County Sheriff's Department further shows that two unmarked vehicles had entered Fort Zancudo, which led to the original investigation of Deputy Hartwell. Further, this witness statement shows that one individual, which through evidence exhibits #1 and #4 has been confirmed as the Defendant, attempted to drive off in a vehicle.
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      San Andreas Judicial Branch
      Official Witness Statement
      "HERE FOR YOU | SAFE FOR YOU"
      Case Information
      • Case Number: [Case Number]
        Incident Date: [01/JAN/2000]
      Witness Information
      • Name: Tom Brown.
        Date of Birth: 04/AUG/1994.
        Phone Number: 2414272.
        Occupation: Los Santos County Sheriff.
      Witness Statement
      • While deployed as ALPHA (Air unit) I noticed two vehicles without any Government markings entering Fort Zancudo. This led me to inform Audrey Hartwell to check them out as no one had informed ATC/SAAA they were entering the facility over the department radio. Audrey Hartwell checked the garage location and I informed her they went inside. She saw both Akio Yamada and Aya Kasumi standing inside with the mechanic tools and equipment. We called for PD assistance as we had low units at the time and we planned to block the main entrance of the compound they were in and push in on foot.

        One suspect attempted to drive off from the scene but surrendered when they realised they were blocked in completely. One of the suspects was called out to be continuously running away from Officers/Deputies resisting arrest multiple times. With both of them detained I remained on overwatch checking for any vehicles entering the facility, clearing shortly after to a store robbery call close by.
      Witness Affirmation
      • I, Tom Brown, affirm that the above statement is true to the best of my knowledge and belief. I affirm that this statement has been made voluntarily, made without promise of reward, and made not under threat, force, or coercion. ((I affirm that all information submitted has been obtained via In-Character means.))

        Signed,

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        Tom Brown.
        Deputy Sheriff II.
        Los Santos County Sheriff's Department.

        Date: [13/NOV/2022]
      Image


Sincerely,


Deputy Attorney General
Director of Public Notary
San Andreas Judicial Branch
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Re: #23-CM-0008, State of San Andreas v. Akio Yamada

Post by Roderick Marchisio »

Motion to Amend Charges
San Andreas Judicial Branch
Motion to Amend Charges

Honorable Daniels,

  • We the prosecution in the case are requesting an amendment of the charges.
    State of San Andreas v. Akio Yamada
    Assigned Court Case Number: #23-CM-0008
    Requesting Party: Prosecution
    Party Members: Roderick Marchisio
    Original Charges:
    • VF03 - Operating a Chop Shop
    • GM04 - Resisting Arrest
    • GF11 - Grand Theft Auto
    • NM06 - Trespassing
    Amended Charges:
    • VF03 - Operating a Chop Shop
    • GM04 - Resisting Arrest
    • GF11 - Accessory to Grand Theft Auto
    • NM06 - Trespassing
    • GF24 - Perjury

    Detailed explanation:

    With reference to the evidence as presented previously to the court, the Prosecution notes that as per the Defendants' narrative under oath as submitted to the court, the Defendant has knowingly and willingly made numerous clearly untrue statements in this official statement to mislead the court in this trial. In this respect, the Prosecution notes to the following sentences:
    • 1. Inside we found a small shed with a car which took our surprise so we began having a look around for quite some time - please refer to previous evidence exhibits where the vehicle was confirmed to be stolen.
    • 2. As we got in our cars to leave, SD ran in with heavy weapons and began screaming to get out of the car to which I complied - refer to previous evidence exhibits where it becomes clear the Defendant attempted to in fact flee using a vehicle.
    • 3. I admit that I ran and we had no idea that this was a location as to where we weren't allowed - the Prosecution notes that any reasonable thinking person would conclude a heavily guarded and gated army base is not a public location.
    • 4. we was not seen in the stolen vehicle and we did not enter the stolen vehicle - while the Prosecution notes the helicopter pilot has not been able to see which individual drove which vehicle, there is no doubt that two vehicles were driven, of which one was the stolen vehicle. Further, the helicopter pilot did not see any other person leaving the mentioned garage.
    The Prosecution notes that in case the Prosecution had not been able to present the abundantly clear evidence as kindly provided by the Los Santos County Sheriff's Department as previously presented to the Court, these false statements by the Defendant, which are in a direct relation to this trial, would at the very least have had the potential to affect the outcome of the trial. As such, the Prosecution can only conclude that the action of knowingly and willingly providing these false statements to the court should only result in the application of the charge GF24 - Perjury.

Sincerely,


Deputy Attorney General
Director of Public Notary
San Andreas Judicial Branch
(909) 372-7719 — [email protected]
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Re: #23-CM-0008, State of San Andreas v. Akio Yamada

Post by Marty Millionaire »

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San Andreas Judicial Branch

Re: State of San Andreas v. Akio Yamada
"HERE FOR YOU | SAFE FOR YOU"

  • Honorable Judge Judith Mason,


    I, Junior Defense Attorney Marty Millionaire, will be co-counseling with Defense Attorney Shaun Harper, Ruwin Korbel and representing the defendant Akio Yamada in this case.


    Respectfully,

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Re: #23-CM-0008, State of San Andreas v. Akio Yamada

Post by Shaun Harper »

Motion to Suppress
San Andreas Judicial Branch
Motion to Suppress

Honorable Judith Mason,

  • We the Defense in the case below are requesting that certain evidence be inadmissible in court.
    State of San Andreas v. Akio Yamada
    Assigned Court Case Number: #23-CM-0008
    Requesting Party: Defense
    Party Members: Cyrus Raven, Ruwin Korbel, Shaun Harper, Marty Millionaire.
    Requested Evidence to Suppress: Exhibit #4: Witness Statement Audrey Hartwell
    Detailed explanation:
    The following should be suppresed for: Speculation

    ''As seen in the bodycamera footage attached above, I come across the two individuals using mechanical equipment around a stolen vehicle in a private garage on government property. I personally witnessed both suspects using mechanical equipment as well as tools to dismantle a vehicle, and some mechanical equipment originally inside the garage.''

    Although the body cam footage shows one of the defendants (Akio Yamada) bowing down, this does not equate to someone using mechanical equipment to dismantle a vehicle. The other defendant (Aya Kasumi) is standing and walking around the car, clearly not using any tools nor touching the car.


    Requested Evidence to Suppress: Exhibit #5: Witness Statement Tom Brown
    Detailed explanation:
    The following should be suppresed for: Speculation

    ''While deployed as ALPHA (Air unit) I noticed two vehicles without any Government markings entering Fort Zancudo. This led me to inform Audrey Hartwell to check them out as no one had informed ATC/SAAA they were entering the facility over the department radio. Audrey Hartwell checked the garage location and I informed her they went inside. She saw both Akio Yamada and Aya Kasumi standing inside with the mechanic tools and equipment. We called for PD assistance as we had low units at the time and we planned to block the main entrance of the compound they were in and push in on foot.''

    The witness does not have first-hand knowledge of the fact he is testifying to.


Sincerely,


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Shaun Harper
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Re: #23-CM-0008, State of San Andreas v. Akio Yamada

Post by Shaun Harper »

Motion to Compel Discovery
San Andreas Judicial Branch
Motion to Compel Discovery

Honorable Judith Mason,

  • We the Defense in the case below are requesting the disclosure of the following material by opposing counsel, please find a detailed reason as to our request below.
    State of San Andreas v. Akio Yamada
    Assigned Court Case Number: #23-CM-0008
    Requesting Party: Defense
    Party Members: Cyrus Raven, Ruwin Korbel, Shaun Harper, Marty Millionaire
    Discovery from: PD

    Type of Discovery: Witness Statement
    • The Defense is requesting a witness statement from officer Rija Luigi of the Los Santos Police Department
    Detailed reasoning:
    • Officer Luigi responded to the scene of the crime. We the defense believe this additional witness statement could shine more light on what happened at at scene of the crime.


Sincerely,

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Shaun Harper
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Re: #23-CM-0008, State of San Andreas v. Akio Yamada

Post by Roderick Marchisio »

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San Andreas Judicial Branch

Re: #23-CM-0008, State of San Andreas v. Akio Yamada
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  • Honorable Mason,

    With respect to the Motion to Suppress as filed by the Defense, the Prosecution would like to rebuttal as follows.

    First of all, in relation to evidence exhibit #4, the Defense states that the phrase "using mechanical equipment" should be suppressed, as - according to the Defense - bowing down does not equate to someone using mechanical equipment. However, analyzing the footage clearly shows one of the Defendants holding mechanical equipment as well as both individuals can be seen carrying pieces of mechanical equipment throughout the footage:
    Footage
    Image
    With respect to the portion that is aimed at the second sentence in the Witness Statement of the fourth exibit, the Prosecution notes that this sentence evidently does not refer to the bodycam footage itself but is part of the statement the Deputy is making in her Witness Statement. It is the Deputy's recollection of events and as such, the Defense has no grounds whatsoever to call this speculation in any way. Further, the Prosecution notes that this is a Witness Statement from a law enforcement officer who is under a legal duty to report. As such, the public records and reports exemption should apply on this statement.

    In relation to the fifth exhibit, the Defense is looking to suppress this statement based on speculation. As the court will no doubt agree, the statement as made by the Deputy is not considered as the term speculation. Further, the Prosecution notes that this is a Witness Statement from a law enforcement officer who is under a legal duty to report. As such, the public records and reports exemption should apply on this statement.

Respectfully,

Deputy Attorney General
Director of Public Notary
San Andreas Judicial Branch
(909) 372-7719 — [email protected]
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Re: #23-CM-0008, State of San Andreas v. Akio Yamada

Post by Roderick Marchisio »

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San Andreas Judicial Branch

Re: #23-CM-0008, State of San Andreas v. Akio Yamada
"HERE FOR YOU | SAFE FOR YOU"

  • Honorable Mason,

    In relation to the Motion to Compel Discovery as filed by the Defense, the Prosecution notes that the name of Rija Luigi was not mentioned in any of the listed evidence exhibits. As such, the Prosecution would like to postpone the reaction to the Motion to Compel Discovery until further insight has been given by the Defense how exactly they are aware of which officers responded to this scene.

Respectfully,

Deputy Attorney General
Director of Public Notary
San Andreas Judicial Branch
(909) 372-7719 — [email protected]
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Re: #23-CM-0008, State of San Andreas v. Akio Yamada

Post by Shaun Harper »

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San Andreas Judicial Branch

State of San Andreas v.
"HERE FOR YOU | SAFE FOR YOU"

  • Honorable Judge Judith Mason,

    In response to the question from the prosecution,
    The defendant has let the defense know they had been in contact with Officer Luigi because they wanted to ask for their charges. Officer luigi then told the defendant she was at the scene of the crime. The officer already provided a statement about the situation. Furthermore The defense believes this statement will provide additional details that will clarify the situation.

    Respectfully,

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    Public Defense Attorney
    San Andreas Judicial Branch
    (909) 308-7889 — [email protected]
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