#24-CM-0021, State of San Andreas v. Herrman Wolff

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Herrman Wolff
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#24-CM-0021, State of San Andreas v. Herrman Wolff

Post by Herrman Wolff »

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Defendant Name: Herrman Wolff
Defendant Phone: 298-4429
Defendant Address: 136 Del Perro Apartments, Del Perro
(( Defendant Discord: #mcllsti ))
Requested Attorney: Shaun Harper as primary counsel, David Coast and Lisa Winter as secondary counsel, Marc Ericsson as tertiary counsel
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Charging Department: Los Santos Police Department
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Date & Time of Incident(s): 07/JAN/2024 21:09
Charge(s):
  • GF07 - Felony Fraud
  • NM09 - Harassment
Narrative:
It is my belief that I was wrongfully charged and I wish to appeal these charges.



I, Herrman Wolff, 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 Herrman Wolff on Sun Jan 07, 2024 10:55 pm, edited 1 time in total.
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Shaun Harper
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Re: State of San Andreas v. Herrman Wolff

Post by Shaun Harper »

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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. Herrman Wolff

A Notification of Counsel was filed in the above case on the 7th of January, 2024.


I, Shaun Harper, Chief Public Defender with the San Andreas Judicial Branch, will be representing the Defendant, Herrman Wolff 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
(909) 308-7889 — [email protected]
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Judith Mason
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Re: State of San Andreas v. Herrman Wolff

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. Herrman Wolff

The court has hereby received and acknowledged the above case on the 7th day of January, 2024.


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. Herrman Wolff

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. Herrman Wolff

A Notification of Counsel was filed in the above case on the 7th of January, 2024.


I, Lisa Winter, Senior Defense Attorney with the San Andreas Judicial Branch, will be representing the Defendant, Herrman Wolff in the underlying case.

I will be taking the responsibility of Co-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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David Vespucci
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Re: State of San Andreas v. Herrman Wolff

Post by David Vespucci »

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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. Hermann Wolff

A Notification of Counsel was filed in the above case on the 7th of January, 2024.


I, David Coast, a Junior Defense Attorney with the San Andreas Judicial Branch, will be representing the Defendant, Hermann Wolff in the underlying case.

I will be taking the responsibility of Co-Counsel and will await further instruction from the Presiding Judge.
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Mary Burrows
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Re: State of San Andreas v. Herrman Wolff

Post by Mary Burrows »

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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. Herrman Wolff

A Notification of Counsel was filed in the above case on the 7th of January, 2023.


I, Mary Burrows, Public Defense Attorney with the San Andreas Judicial Branch, will be representing the Defendant, Herrman Wolff in the underlying case.

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

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Public Defense Attorney
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Training and Hiring Staff
San Andreas Judicial Branch
(909) 339-5979 — [email protected]
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Hope Kant
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Re: State of San Andreas v. Herrman Wolff

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. Herrman Wolff

A Notification of Counsel was filed in the above case on 07/JAN/2023.


I, Hope Kant, 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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Attorney General
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San Andreas Judicial Branch
(909) 321-2132 — [email protected]
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Kendall Groyce
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Re: State of San Andreas v. Herrman Wolff

Post by Kendall Groyce »

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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. Herrman Wolff

A Notification of Counsel was filed in the above case on 07/JAN/2023.


I, Kendall Groyce, a Senior Prosecuting Attorney with the San Andreas Judicial Branch, will be representing the State of San Andreas in the underlying case.

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

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Hugh Allgood
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Re: State of San Andreas v. Herrman Wolff

Post by Hugh Allgood »

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Allgood Law

Entry of appearance
"Right Firm. Right Now"

  • To all concerned,

    I, Hugh R. Allgood, of Allgood Law have been retained as counsel for Herrman Wolff and hereby notify the Court and all parties of my appearance, and will join Mr. Wolff's legal team in this matter.

Respectfully,
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Antonio McFornell
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Re: #24-CM-0021, State of San Andreas v. Herrman Wolff

Post by Antonio McFornell »

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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. Herrman Wolff
#24-CM-0021

A Notice of Activation was entered in the above case on 1st day of May, 2024.


The case of the State of San Andreas v. Herrman Wolff is hereby activated by this Court under #24-CM-0021.

Both the State and Defendant have adequate representation in the case, as such, immediately following this notice, the Presiding Judge will be filing the Order for Discovery.

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.

So ordered,
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Superior Court Judge
Director of the San Andreas Bar Association
San Andreas Judicial Branch
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Antonio José McFornell
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Antonio McFornell
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Re: #24-CM-0021, State of San Andreas v. Herrman Wolff

Post by Antonio McFornell »

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San Andreas Judicial Branch

Superior Court of San Andreas
"EQUAL JUSTICE UNDER LAW"

ORDER FOR DISCOVERY


IN THE SUPERIOR COURT OF SAN ANDREAS

State of San Andreas v. Herrman Wolff
#24-CM-0021

A court order was entered in the above case on 1st of May, 2024.


The case of #24-CM-0021, State of San Andreas v. Herrman Wolff 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.


So ordered,
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Superior Court Judge
Director of the San Andreas Bar Association
San Andreas Judicial Branch
(909) 553-8869 — [email protected]
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Antonio José McFornell
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Director of the San Andreas Bar Association
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Hope Kant
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Re: #24-CM-0021, State of San Andreas v. Herrman Wolff

Post by Hope Kant »

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San Andreas Judicial Branch

Superior Court of San Andreas
"EQUAL JUSTICE UNDER LAW"

MOTION FOR VOLUNTARY DISMISSAL WITHOUT PREJUDICE


IN THE SUPERIOR COURT OF SAN ANDREAS

State of San Andreas v. Herrman Wolff
#24-CM-0021

A Motion for Voluntary Dismissal Without Prejudice was filed in the above case on the 1 of May, 2024.


The State of San Andreas by and through the undersigned attorneys, filed this Motion for Voluntary Dismissal Without Prejudice, and the reasoning for request is as follows;


  • Reasoning: Charges have been dismissed without prejudice at this time
    • Detailed Explanation: The Attorney General and the Los Santos Police Department have reached the conclusion that the charges placed against the defendant are to be dismissed without prejudice at this time. This dismissal without prejudice does not overturn the statute of limitations and is a temporary dismissal until further ongoing inter-agency investigations are complete.


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Attorney General
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San Andreas Judicial Branch
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    Re: #24-CM-0021, State of San Andreas v. Herrman Wolff

    Post by Hope Kant »

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    San Andreas Judicial Branch

    Docket Notice
    "HERE FOR YOU | SAFE FOR YOU"

    • Honorable Judge McFornell and pertaining parties,

      The Prosecution would like to take this time to remind the courts of the current state of the Judicial Branch. There are currently 8 active cases. Of those 8 active cases 1 is currently pending an appeal and this one has just been dismissed. In the end we are looking at 6 active cases and 2 (possible) appeals.

      While there may be 6 total judges that can take cases, and only one on LOA that expires tomorrow. The Prosecution department has 1 total person at the moment that is qualified to take on cases as the other individuals have not been given enough trial experience or are still new to the profession.

      That being said, we would ask the courts, that, instead of opening new cases, we work to conclude the current active cases. For example, the Melody Frey case has not been touched in quite some time despite the LOA of the Judge expiring. We ask that instead of overworking a singular department, that the courts recognize the need to move through the cases that have been waiting for immediate verdict.

      As the Judges out number both Prosecuting Attorneys and Defense Attorneys, it may be beneficial for Judges to work together to determine verdicts in a more timely manor. That way instead of having 10+ active cases at one time and potentially burning out individuals, we would strive for quicker and more timely window between case activation and conclusion.

      Respectfully,

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      Attorney General
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      San Andreas Judicial Branch
      (909) 505-9925 — [email protected]
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    Re: #24-CM-0021, State of San Andreas v. Herrman Wolff

    Post by Hugh Allgood »

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    San Andreas Judicial Branch

    Superior Court of San Andreas
    "EQUAL JUSTICE UNDER LAW"

    DEFENSE RESPONSE AND OBJECTION TO THE STATE'S MOTION FOR VOLUNTARY DISMISSAL WITHOUT PREJUDICE


    IN THE SUPERIOR COURT OF SAN ANDREAS

    State of San Andreas v. Herrman Wolff
    24-CM-0021

    Defense response objecting to the State's motion for voluntary dismissal without prejudice filed on the 1st of May, 2024 was filed in the above case on the 1st of May, 2024.


    Herrman Wolff, by and through the undersigned attorneys, filed this Response objecting to the State's Motion for Voluntary Dismissal, and the reasoning for request is as follows;


    • Reasoning: violation of the defendant's 5th & 6th Amendments
      • Detailed Explanation:

        The prosecution seeks to dismiss this case upon their motion and requests such dismissal to be granted without prejudice – meaning the prosecution wishes to have the option to refile this case at some point in the future. In the State's response, the State makes mention of their intent to refile this matter at a later time. The defense objects to the motion with this condition. It is the defense’s belief if a dismissal is to be granted in this matter, the dismissal should be accompanied with finality and the State should not be permitted to refile this matter out of fairness to Mr. Wolff, but also in adherence to the Constitution.

        In support of the defense motion, the defense wishes to remind the State and Court that Mr. Wolff has a Constitutional right both a fair and speedy trial and a right to be protected from double jeopardy. Now that this case has been activated by the court, the Defense is ready to ensure Mr. Wolff’s right to a fair trial is enjoyed. However, if the Court grants this motion, Mr. Wolff’s right to a fair and speedy trial would be violated. This matter has been hanging over Mr. Wolff’s head for 4 months now, not to mention Mr. Wolff has another pending case yet to be activated by this court. If the Court grants this motion as articulated by the State, Mr. Wolff would continue to wait to enjoy his right to a fair and speedy trial, and would also gain the uncertainty on when these charges (or additional charges) would be re-filed against him looming over his head. In addition to a violation of Mr. Wolff's right to a fair and speedy trial, Mr. Wolff's right to be protected from double jeopardy would also be violated. The Defense wishes to remind the State and Court that these charges were filed on Mr. Wolff after he was ARRESTED for these charges, and Mr. Wolff has been waiting since his arrest to have this matter resolved via the judicial system. Allowing the State to subject Mr. Wolff to prosecution for the same offense twice against objection is a violation of Mr. Wolff's 6th Amendment rights.

        6th Amendment San Andreas Constitution wrote: No person shall be subject to prosecution of the same offense twice, constituting double jeopardy, and put in jeopardy of life or limb.

        5th Amendment San Andreas Constitution wrote: In all criminal trials brought forth by or too the San Andreas Judicial Branch, the accused shall enjoy the right to a speedy and public trial…


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    Chief Public Defender
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    San Andreas Judicial Branch
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    Re: #24-CM-0021, State of San Andreas v. Herrman Wolff

    Post by Antonio McFornell »

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    San Andreas Judicial Branch


    "HERE FOR YOU | SAFE FOR YOU"

    • Parties,

      This Court will allow the Prosecution 72 hours to present any considerations or arguments in relation to the request presented by the defense.

      Best regards,

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