#23-CM-0110, State of San Andreas v. Martin Herrmann

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Kingx226
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#23-CM-0110, State of San Andreas v. Martin Herrmann

Post by Kingx226 »

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Defendant Name: Martin Herrmann
Defendant Phone: 2182791
Defendant Address: 24 Great Ocean HWY
(( Defendant Discord: toxicc0000 ))
Requested Attorney: Jacob schmidtt
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Charging Department: LSPD
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Date & Time of Incident(s): 21/08/2023
Charge(s):
  • Grand Theft Auto
Narrative:
I was doing roadwork because i am new to the city it was my 4th day. Trying to make some money. While we were doing our job i got a notification that my car was broken in to. After we finished our job we drove back to our HQ. There i saw that my car was not standing there. One of my Co workers offered to help me find my car, using the car search app on my phone. He drove a black warrener infornt of me and told me to get in. He said he would dirve me there. After we had arrived and found nobody besides my completly destroyed car. He was pushing me to LSC with the front of the warrener because all of my tires were stolen/destroyed. When we had arived at LSC i asked to get my car repaired. He was still pushing me to the bay. After they repaired my car, one of the mechanics drove the warrener inside and said that the car couldnt be parked there. The driver of the warrener said "Its not my car actually i stole it". I said "EYYYYY" in shock because i didnt know it was stolen and that he was driving a stolen car. After that i immediately kicked him out of my red Tampa that i got repaired.
The next day i got pulled over, right after taking my boyfriend to the Car dealership, from the police and arrested. Due to a warant i didnt know i had from what happend the day befor. Even though i didnt do anything illegal.

The officer Took my belongings and said that i get all legal things back after my sentence. After i completed my sentence i did not get back any belongings the officer took from me. And i checked DOC and LSPD for my stuff.



I, Martin Herrmann, 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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Judith Mason
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Re: State of San Andreas v. Martin Herrmann

Post by Judith Mason »

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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. Martin Herrmann

The court has hereby received and acknowledged the above case on the 26th day of August, 2023.


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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Jacob Schmidtt
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Re: State of San Andreas v. Martin Herrmann

Post by Jacob Schmidtt »

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San Andreas Judicial Branch

Superior Court of San Andreas
"EQUAL JUSTICE UNDER LAW"

NOTIFICATION OF COUNSEL


IN THE SUPERIOR COURT OF SAN ANDREAS

State of San Andreas v. Martin Herrmann

A Notification of Counsel was filed in the above case on the 27 of August, 2023.


I, Jacob Schmidtt, Public Defender with the San Andreas Judicial Branch, will be representing the Defendant, Martin Herrmann in the underlying case.

I will be taking the responsibility of Primary Counsel and will await further instruction from the Presiding Judge.

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Hope Kant
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Re: State of San Andreas v. Martin Herrmann

Post by Hope Kant »

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San Andreas Judicial Branch

Superior Court of San Andreas
"EQUAL JUSTICE UNDER LAW"

NOTIFICATION OF COUNSEL


IN THE SUPERIOR COURT OF SAN ANDREAS

State of San Andreas v. Martin Herrmann

A Notification of Counsel was filed in the above case on 16/SEP/2023.


I, Hope Kant, Deputy Attorney General of the San Andreas Judicial Branch, will be representing the State of San Andreas in the underlying case.

I will be taking the responsibility of Primary Counsel and will await further instruction from the Presiding Judge.


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San Andreas Judicial Branch
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Robert Winejudge
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Re: State of San Andreas v. Martin Herrmann

Post by Robert Winejudge »

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San Andreas Judicial Branch

Superior Court of San Andreas
"EQUAL JUSTICE UNDER LAW"

NOTICE OF ACTIVATION


IN THE SUPERIOR COURT OF SAN ANDREAS

State of San Andreas v. Martin Herrmann
#23-CM-0110

A Notice of Activation was entered in the above case on 17th of December, 2023.


The case of the State of San Andreas v. Martin Herrmann is hereby activated by this Court under #23-CM-0110.

At this time the State has adequate representation, however, the prosecutor on the case is on a Leave Of Absence The Defendant is still seeking representation as well. At this time the court will delay the Order for Discovery until adequate representation has been assigned and they inform the court they are ready to proceed and the prosecution's LOA has ended.

In accordance with guidelines set forth by the Supreme Court of San Andreas, this case shall require an in-person trial. Once all pretrial matters have been resolved, a Notice of Scheduling will be issued to arrange an appropriate time for trial.

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Lisa Winter
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Re: #23-CM-0110, State of San Andreas v. Martin Herrmann

Post by Lisa Winter »

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San Andreas Judicial Branch

Superior Court of San Andreas
"EQUAL JUSTICE UNDER LAW"

NOTIFICATION OF COUNSEL


IN THE SUPERIOR COURT OF SAN ANDREAS

State of San Andreas v. Martin Herrmann

A Notification of Counsel was filed in the above case on the 27 of December, 2023.


I, Lisa Winter, Senior Public Defender with the San Andreas Judicial Branch, will be representing the Defendant, Martin Herrmann in the underlying case.

I will be taking the responsibility of Primary Counsel and will await further instruction from the Presiding Judge.

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Senior Defense attorney
San Andreas Judicial Branch
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Hope Kant
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Re: #23-CM-0110, State of San Andreas v. Martin Herrmann

Post by Hope Kant »

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San Andreas Judicial Branch

Superior Court of San Andreas
"EQUAL JUSTICE UNDER LAW"

MOTION FOR DISCOVERY


IN THE SUPERIOR COURT OF SAN ANDREAS

State of San Andreas v. Martin Herrmann
#23-CM-0110

A Motion for Discovery was filed in the above case on the 4th of January, 2024.


The State of San Andreas by and through the undersigned attorney, filed this Motion for Discovery, and presents the following as evidence;


  • Exhibit #1: Warrant Report for Martin Herrmann 21/AUG/2023
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    WARRANT REPORT

    SUSPECT 1 DETAILS
    • Full Name: Martin Herrmann
      Telephone Number: 2182791
      Charges:
      • GF-11 Grand Theft Auto

      Additional Details (Suspect's vehicle, etc.) :
      Insert additional details here.
    SUSPECT 2 DETAILS
    • Full Name: First Last
      Telephone Number: Answer here.
      Charges:
      • CHARGECODE - Charge Description.

      Additional Details (Suspect's vehicle, etc.) :
      Insert additional details here.


    VEHICLES INVOLVED
    • Vehicle A: Black And Green Warrener RO : Henry Brooks


    DEPUTY DETAILS
    • Full Name: Fillmoore Grayson
      Badge Number: 8712
      Callsign: 2-D-32


    INCIDENT NARRATIVE
    • Date of Incident: 2023-12-AUG
      Deputies Involved: Fillmoore Grayson

      Explain what happened, sufficient detail must be given to validate the justify the placed charges, videos could be provided.
      • On August 21, 2023, I responsed to LSC in reference to the report of a stolen vehicle. Upon my arrival, I made contact with a representative on site, Joseph Takahashi.

        Joseph stated the listed defendant had brought a damaged vehicle into LSC for repairs. Per LSC Policy they confirmed his identity with his driver's license. At the time of the repair he was being followed by a Warrener and once the vehicle being driven by Martin was fixed both subjects entered Martin's vehicle and drove off.

        Before Driving off Martin reported to LSC that the warrener was not his and they had stolen it.

        I reviewed bodycamera provided to me by the business and found it to be consistent with the statement provided.

        I made contact with the registered owner, Henry Brooks, who stated he had his vehicle parked at roadworkers HQ and authorized nobody to take the car.


      Method of Identification
      • License provided to LSC as a customer/

    CONFISCATED EVIDENCE DETAILS
    • Document the possessions confiscated from the charged suspect.
      Illegal evidence must be documented individually, examples of documented illegal evidence are "Pistol .50" or "12 grams of Cocaine". Body camera footage/pictures may be attached as an evidence exhibit.

      Where possible the serial number of each firearm seized as evidence should be noted.


      Exhibit A:

      Photo of the evidence in the locker (if applicable)
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    ARRESTING DEPUTY SIGNATURE
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    Exhibit #2: Staff Sergeant Fillmoore Grayson Witness Statement
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    San Andreas Judicial Branch
    Official Witness Statement
    "HERE FOR YOU | SAFE FOR YOU"
    Case Information
    • Case Number: NO CASE NUMBER
      Incident Date: 12/AUG/2023
    Witness Information
    • Name: Fillmoore Grayson
      Date of Birth: 05/MAY/1996
      Phone Number: 203-9445
      Occupation: Los Santos Sheriff's Department - Staff Sergeant
    Witness Statement
    • On August 21, 2023, I responsed to LSC in reference to the report of a stolen vehicle. Upon my arrival, I made contact with a representative on site, Joseph Takahashi.

      Joseph stated the listed defendant had brought a damaged vehicle into LSC for repairs. Per LSC Policy they confirmed his identity with his driver's license. At the time of the repair he was being followed by a Warrener and once the vehicle being driven by Martin was fixed both subjects entered Martin's vehicle and drove off.

      It is now discovered that before driving off the suspect of the warrener reported that the vehicle was not his and that he stole it.

      I reviewed bodycamera provided to me by the business and found it to be consistent with the statement provided.

      I made contact with the registered owner, Henry Brooks, who stated he had his vehicle parked at roadworkers HQ and authorized nobody to take the car.

      It should be further noted that the defendant willfully departed from the truth in regards to refusing transportation with the other unidentified party. The defendant with knowledge of the vehicle theft provided the subject transportation, reference body camera footage provided by LSC Staff.

      The defendant benefited from the utilization of a stolen vehicle that pushed him to the Los Santos Customs and was a complicit accessory after the fact by transporting the other party to another location with knowledge he committed a crime which aided in the other's party ability to elude law enforcement.

      The evidence is attached to the warrant.
    Witness Affirmation
    • I, Fillmoore Grayson, 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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      Fillmoore Grayson
      Staff Sergeant
      Los Santos Sheriff's Department

      Date: 08/SEP/2023
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    Exhibit #3: Bodycam Footage

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Attorney General
Director of Public Notary
San Andreas Judicial Branch
(909) 321-2132 — [email protected]
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    Hope Kant
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    Re: #23-CM-0110, State of San Andreas v. Martin Herrmann

    Post by Hope Kant »

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    San Andreas Judicial Branch

    Superior Court of San Andreas
    "EQUAL JUSTICE UNDER LAW"

    MOTION TO AMEND


    IN THE SUPERIOR COURT OF SAN ANDREAS

    San Andreas v. Martin Herrmann
    #23-CM-0110

    A Motion to Amend was filed in the above case on the 4th of January, 2024.


    The State of San Andreas by and through the undersigned attorney, filed this Motion to Amend, the original charges with the underlined amended charges.


    • Original Charges
      • GF11 - Grand Theft Auto

    • Amended Charges
      • Accessory to GF-11 Grand Theft Auto

    • Detailed Explanation: It is clear based off the footage provided to the Prosecution that the defendant was working with the person who admitted to stealing the Warrener. The defendant even states "He drove a black warrener infornt of me and told me to get in. He said he would dirve me there." He entered a stolen vehicle and used it for transportation. Not only that, but he was aware of the vehicle theft through admission by the other individual he was traveling with as shown in the bodycam footage. He continued to remain in the vehicle with the self-proclaimed thief, but he had other options. Rather than reporting the crime or distancing himself from the individual, the defendant departed the premises with the alleged thief. If the defendant had been the driver of the stolen vehicle and not the passenger, the charge would have remained at GF11 - Grand Theft Auto. As no proof of that exists to our knowledge, we are adding the Accessory modifier to the original charge.




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    Attorney General
    Director of Public Notary
    San Andreas Judicial Branch
    (909) 321-2132 — [email protected]
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    Lisa Winter
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    Re: #23-CM-0110, State of San Andreas v. Martin Herrmann

    Post by Lisa Winter »

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    San Andreas Judicial Branch

    Superior Court of San Andreas
    "EQUAL JUSTICE UNDER LAW"

    MOTION FOR VOLUNTARY DISMISSAL


    IN THE SUPERIOR COURT OF SAN ANDREAS

    State of San Andreas v. Martin Herrmann
    #23-CM-0110

    A Motion for Voluntary Dismissal was filed in the above case on the 7th of January, 2024.


    The Defendant, Martin Herrmann, by and through the undersigned attorney, filed this Motion for Voluntary Dismissal, and the reasoning for request is as follows;


    • Reasoning: Unable to contact the defendant
      • Detailed Explanation: ((Have attempted to reach out OOCLY since I took the case after its activation to no response))




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    Senior Defense Attorney
    San Andreas Judicial Branch
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    Robert Winejudge
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    Re: #23-CM-0110, State of San Andreas v. Martin Herrmann

    Post by Robert Winejudge »

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    San Andreas Judicial Branch
    Superior Court of San Andreas

    "EQUAL JUSTICE UNDER LAW"

    COURT DECISION


    IN THE SUPERIOR COURT OF SAN ANDREAS

    State of San Andreas v. Martin Herrmann
    #23-CM-0110

    A decision was reached in the above case on the 14th day of January, 2024.


    The Motion for Voluntary Dismissal filed by the defense on the 7th of January is granted as the defendant has failed to make contact with their appointed attorney within a reasonable timeframe. The charges filed against the defendant shall remain intact and the defendant shall be assessed $9,000 in court fees for time and resources spent on this case.

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    Superior Court Judge
    San Andreas Judicial Branch
    (909) 372-4223 — [email protected]
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