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  • STATE OF FLORIDA vs. GILLIAM, CARLOS WILLIAM document preview
  • STATE OF FLORIDA vs. GILLIAM, CARLOS WILLIAM document preview
  • STATE OF FLORIDA vs. GILLIAM, CARLOS WILLIAM document preview
  • STATE OF FLORIDA vs. GILLIAM, CARLOS WILLIAM document preview
						
                                

Preview

Filing # 123585457 E-Filed 03/23/2021 11:48:41 AM IN THE CIRCUIT COURT OF THE TWENTIETH JUDICIAL CIRCUIT IN AND FOR CHARLOTTE COUNTY, FLORIDA STATE OF FLORIDA, Plaintiff, Case No. 20-681-F vs. CARLOS W. GILLAM, Defendant. MOTION TO PERMIT CHILD TO TESTIFY COMES NOW, Defendant, CARLOS W. GELLIAM., by and through his undersigned attorney, and hereby files this Motion to Permit Child to Testify in the trial in this cause and as grounds therefore, states: lL, The following minor child is subject to this proceeding: Name Date of Birth 2. Carlos Gilliam is the pf the child and] s the chiic’s EE On or about April 21, 2020, Defendant/Father was arrested for Aggravated Battery knowing the victim was pregnant. w 4. ‘The child was present when the alleged incident occurred. The child wishes to testify as a witness to the alleged incident. He is 13 years old and of sufficient age to do so. ow 6. The child has information on this criminal case relevant to Defendant’s guilt or innocence on the criminal charge, but he is unable to testify without a court order permitting him to do so.WHEREFORE, Defendant respectfully requests the Court enter an order permitting the testimony by the child at the trial in the case. Respectfully Submitted. LAW OFFICE OF ERIC A. REYES, P.A. Eric A. Reyes, Esquire FBN: 815047 1435 Collingswood Blvd. Suite B Port Charlotte, Florida 33948 Tel: 941-624-3644 Attorney for Defendant Email: CER Z R J] HEREBY CERTIFY that a true and correct copy of the foregoing has been e-filed and furnished via email to the Assistant State Attorney as listed on the e-portal on this Aged day of March, 2021. a , Esquire