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  • ZILLO, GEOVANNY #365810 v. COMMISSIONER OF CORRECTIONM30 - Misc - Habeas Corpus (extradition release from Penal Institution) document preview
  • ZILLO, GEOVANNY #365810 v. COMMISSIONER OF CORRECTIONM30 - Misc - Habeas Corpus (extradition release from Penal Institution) document preview
  • ZILLO, GEOVANNY #365810 v. COMMISSIONER OF CORRECTIONM30 - Misc - Habeas Corpus (extradition release from Penal Institution) document preview
  • ZILLO, GEOVANNY #365810 v. COMMISSIONER OF CORRECTIONM30 - Misc - Habeas Corpus (extradition release from Penal Institution) document preview
  • ZILLO, GEOVANNY #365810 v. COMMISSIONER OF CORRECTIONM30 - Misc - Habeas Corpus (extradition release from Penal Institution) document preview
  • ZILLO, GEOVANNY #365810 v. COMMISSIONER OF CORRECTIONM30 - Misc - Habeas Corpus (extradition release from Penal Institution) document preview
						
                                

Preview

ee suaaes jeariate DOCKRT NO.TSRCV205000578S SUPERIOR COURT ZILLO, GEOVANNY #365810 200) 4G 10 AJUDECIAL DISTRICT OF TOLLAND Vv. . AT SOMERS COMMISSIONER OF CORRECTION : 7/27/2020 MOTION FOR DISCOVERY The Petitioner (self-Represented) request pursuant to Conne- cticut general statutes that govern Discovery in legal proceedings and C.P.B sub section having jurisdiction regarding Discovery rules, the petitioner respectfully request the following documents / mat- erial or and copies be made to the petitioner so it may aid in his matter before the court. C.P.B Sec.13-2 Scope of Discovery and C.P.B Sec. 13-3 Materials prepared in anticipation of Litigation and any other that may apply. Requesting the followings; Copy of complete clerk's file provided to court. A complete comy of the Clerk's file for the criminal trial in 2009 Clerk's copy which contains polling of the jury. Habeas court given clerkfile Witness list for both the state and the defense Copies of all motions file in the criminal court during trial by the state and copies of all motions file for criminal trial by defense attorney. Requesting copy of complete clerk's file and all contents contained within. -Requesting copis of all exibets from the state at the petitioner's 2009 criminal trial and all copies of all exhibits submitted to the court by defense attorney. Requesting copies of all mgtions file by the state in the 2017 habeas trial at Rockville. Requesting all motions (copies) subm- itted by then Habeas attorney Michael Brown in 2017. -Requesting copis all exibits by both state and defense that were submitted to the habeas court for trial of the petitioner in 2017 at Rockville. Requesting per statute that all fees be waived for production of wa V _copies of all named above materials. oe (1 of 3) The Foregoing Motion, MOTION FOR DISCOVERY having been heard by this court is hereby; DOCKET NO.TSRCV205000578S GRANTED / DENIED Judge: DATE: 7 /2020 ~ (2 of 3) Proof of Service Gertification The Petitioner hereby states that he is complainant with C.P.B Sec.10-12,Sec.10-13,Sec.10-14 and that a copy of the titled motion, Motion for Discovery, has been mailed to all parties involved in the matter before the habeas court Docket #TSRCV205000578S by U.S. Mail. Superiott Court J.D. of Tolland Clerk's Office 20 Park Street Rockville , CT 06066 Mr. Geovanny Zillo #365810 (Petitioner) Macdougall C.I. . 1153 East Street South Suffield, CT 06080 State's Attorney #401816 J.D. Waterbury 400 Grand Street Waterbury, CT 06702 Respectfully; my “a a; 365810 7/27/2020 (3 of 3)