Edward Harrington Heyburn, Esq.

Transcription

Edward Harrington Heyburn, Esq.
The Law Offices of
EDWARD HARRINGTON HEYBURN, ESQ., LLC
Edward Harrington Heyburn, Esq.
Attorney Identification No. 024161997
7 Poplar Run
East Windsor, New Jersey 08520
Tel. (609) 240-5578
Fax (609) 228-5115
Attorneys for Defendant: Edward Forchion
STATE OF NEW JERSEY
Plaintiff,
vs.
EDWARD FORCHION,
Defendant.
TO:
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SUPERIOR COURT OF NEW JERSEY
LAW DIVISION, CRIMINAL PART
MERCER COUNTY
INDICTMENT NO:
PROSECUTOR #: 16-1706-001
Criminal Action
NOTICE OF MOTION TO RETURN PROPERTY
Stephanie A. Katz
Special Deputy Attorney General / Acting Mercer County
Assistant Prosecutor
Mercer County Prosecutor’s Office
Mercer County Courthouse
209 South Broad Street, Third Floor
Trenton, New Jersey 08650
SIRS:
PLEASE TAKE NOTICE that on Friday, July 15, 2016, or a date
determined by the Court or as soon thereafter as counsel may be
heard, the undersigned, attorney for Defendant, Shaheed Brown
shall apply to the above named court, Superior Court of New
Jersey, Mercer County Courthouse, 400 South Warren Street,
Trenton, NJ 08650-0068, for an Order requiring the Mercer County
LAW OFFICES OF EDWARD HARRINGTON HEYBURN, ESQ.
1.
Prosecutor’s Office to Return the Defendant’s Property,
specifically, the hard drives
and DVR’s taken during the search
of his home and seizure of his property.
PLEASE TAKE FURTHER NOTICE that pursuant to R.1:6-2(d), the
undersigned hereby requests oral argument.
A proposed form of Order is annexed hereto.
The Law Office of
EDWARD HARRINGTON HEYBURN, ESQ.
Attorneys for Defendant(s):
Edward Forchion
By:
DATED:
June 28, 2016
EDWARD HARRINGTON HEYBURN, ESQ.
LAW OFFICES OF EDWARD HARRINGTON HEYBURN, ESQ.
2.
CERTIFICATION OF MAILING
Attached hereto is a Certification upon which I shall rely.
I hereby certify that the original and one copy of this Notice
of Motion, along with an original and two copies of the proposed
form of Order has been filed with the Clerk, Superior Court of
New Jersey, Mercer County Courthouse, 400 South Warren Street,
Trenton, NJ 08650-0068, and a copy has been served via
electronic delivery on all counsel as follows:
Stephanie A. Katz
Special Deputy Attorney General /
Acting Mercer County Assistant Prosecutor
County Prosecutor’s Office
Mercer County Courthouse
209 South Broad Street, Third Floor
Trenton, New Jersey 08650
The Law Office of
EDWARD HARRINGTON HEYBURN, ESQ.
Attorneys for Defendant(s):
Edward Forchion
By:
EDWARD HARRINGTON HEYBURN, ESQ.
DATED:
June 28, 2016
LAW OFFICES OF EDWARD HARRINGTON HEYBURN, ESQ.
3.
The Law Offices of
EDWARD HARRINGTON HEYBURN, ESQ., LLC
Edward Harrington Heyburn, Esq.
Attorney Identification No. 024161997
7 Poplar Run
East Windsor, New Jersey 08520
Tel. (609) 240-5578
Fax (609) 228-5115
Attorneys for Defendant: Edward Forchion
STATE OF NEW JERSEY
Plaintiff,
vs.
EDWARD FORCHION,
Defendant.
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SUPERIOR COURT OF NEW JERSEY
LAW DIVISION, CRIMINAL PART
MERCER COUNTY
INDICTMENT NO:
PROSECUTOR #: 16-1706-001
Criminal Action
ATTORNEY CERTIFICATION
I, EDWARD HARRINGTON HEYBURN, ESQ., hereby certify as
follows:
1.
I am an attorney at law of the State of New Jersey
with The Law Offices of Edward Harrington Heyburn, Esq.,
attorney for the Defendant, Edward Forchion, as such I am fully
familiar with the matter herein;
2.
On behalf of Mr. Forchion, I move for this Court to
return the hard drives and DVR’s seized by the Trenton Police
Department and now in the possession of the Mercer County
Prosecutor’s Office.
LAW OFFICES OF EDWARD HARRINGTON HEYBURN, ESQ.
4.
3.
I have attached a copy of an Affidavit of Edward
Forcion as Exhibit “A”’;
4.
I will rely on this Affidavit and the attached Memorandum
of Law;
5.
No action has been instituted to confiscate the hard
drive and DVR’s;
6.
Both the Mercer County Prosecutor’s Office and this
Court have refused to respond to Mr. Forchion’s repeated requests
for a Probable Cause Hearing;
a.
See
Defendant,
Edward
Forchion’s
Demand
for
a
Probable Cause Hearing dated May 21, 2016 and attached as Exhibit
“B”;
b.
See
Defendant,
Edward
Forchion’s
Demand
for
a
Probable Cause Hearing dated June 3, 2016 and attached as Exhibit
“C”;
7.
There is no legal basis to seize the hard drives and
DVR’s;
8.
Defendant, Edward Forchion asks this Court to enter an
Order requiring the Mercer County Prosecutor’s Office to return
the hard drives and DVR’s to him;
LAW OFFICES OF EDWARD HARRINGTON HEYBURN, ESQ.
5.
I hereby certify that the foregoing statements made by me
are true.
I am aware that if any of the forgoing statements
made by me are willfully false, I am subject to punishment.
EDWARD HARRINGTON HEYBURN, ESQ.
Date:
June 28, 2016
LAW OFFICES OF EDWARD HARRINGTON HEYBURN, ESQ.
6.
The Law Offices of
EDWARD HARRINGTON HEYBURN, ESQ., LLC
Edward Harrington Heyburn, Esq.
Attorney Identification No. 024161997
7 Poplar Run
East Windsor, New Jersey 08520
Tel. (609) 240-5578
Fax (609) 228-5115
Attorneys for Defendant: Shaheed Brown
STATE OF NEW JERSEY
Plaintiff,
vs.
EDWARD FORCHION,
Defendant.
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SUPERIOR COURT OF NEW JERSEY
LAW DIVISION, CRIMINAL PART
MERCER COUNTY
INDICTMENT NO:
PROSECUTOR #: 16-1706-001
Criminal Action
ORDER
This matter having been brought before the Court on Motion of
The Law Offices of Edward Harrington Heyburn, Esq., attorney for
Defendant, Edward Forchion, for an Order requiring the Mercer
County Prosecutor’s Office to Return the Defendant’s Property,
specifically, the hard drives and DVR’s taken during the search of
his of his property, and
IT IS HEREBY ORDERED
on this____________day of __________,
2016 that Defendant, Edward Forchion’s Motion is GRANTED; and
IT IS FURTHER ORDERED that the Mercer County Prosecutor’s
Office shall return the Defendant’s hard drives and DVR’s within
days of the date of this Order; and
LAW OFFICES OF EDWARD HARRINGTON HEYBURN, ESQ.
7.
IT IS FURTHER ORDERED that a copy of this Order shall be
served upon all parties within _____days hereof.
, J.S.C.
Papers filed with the Court
oopposed
ounopposed
LAW OFFICES OF EDWARD HARRINGTON HEYBURN, ESQ.
8.
AFFIDAVIT
PERSONALLY came and appeared before me, the undersigned
Notary, the within named Edward Forchion, who is a resident of
Mercer County, State of New Jersey, and makes this his statement
and Affidavit upon oath and affirmation of belief and personal
knowledge that the following matters, facts and things set forth
are true and correct to the best of his knowledge:
1.
I am Edward Forchion, residing in Trenton, New Jersey;
2.
I am a defendant in a matter captioned, State v.
Edward Forchion, Pros. No. 16-1706-001;
3.
I make this affidavit in support of my Motion to
Return my property, specifically a hard drive and DVR’s which
were seized by the Trenton Police Department and now in the
Possession of the Mercer County Prosecutor’s Office;
4.
On March 9, 2016, I filed a Civil Rights law suit
against the Trenton Police Department and others as a result of
actions the committed which violated my civil rights (Liberty
Bell Temple III and Edward Forchion v. City of Trenton and
Trenton Police Department, Civil Action No. 16-1339 attached as
Exhibit “D”);
5.
The Trenton Police Department appeared by way of
counsel, Jacqueline A. DeGregorio, Esq., Weiner Lesniak LLP, 629
Parsippany Road, Parsippany, NJ 07054, and filed a Motion to
Dismiss Plaintiff’s Complaint pursuant to Rule 12(B)(6);
6.
Attached to the Motion was a sworn Affidavit from
Trenton Police Captain, Edelmiro Gonzalez, Jr., which stated:
1
Edelmiro Gonzalez Jr., of full age, hereby certifies
as follows:
1. I am a member of the Trenton Police Department
("TPD") possessing the rank of Captain. In my
supervisory capacity with the TPD, I am fully familiar
with the facts giving rise to this matter.
***
6. On February 28, 2016 at 2:30 a.m., officers were
detailed to 322 East State Street on the report from a
private individual of disorderly conduct involving a
street fight. When the officers arrived there were
approximately 30 people outside of the deli/temple.
The crowd had apparently exited 322 East State Street.
One person was arrested and charged with resisting
arrest, improper behavior and failure to disperse. See
redacted Event and Incident/Investigation Reports
attached as Exhibits "C" and "D".
***
(Affidavit of Trenton Police Captain, Edelmiro Gonzalez, Jr.
dated April 1, 2016 and attached as Exhibit “E”);
7.
Fortunately, I had video proof that Officer sworn
affidavit was false, thus perjury;
8.
The video showed that there was not a street fight
near 322 East State Street and there were not 30 people outside
of 322 East State Street when the Trenton Police arrived;
9.
Apparently, Captain Gonzalez and his attorneys were
not aware that the Liberty Bell had video surveillance of the
2
incident when his Affidavit was drafted by Jacqueline A.
DeGregorio, Esq.
9.
The exculpatory evidence contradicting Captain
Edelmiro Gonzalez‘s Affidavit was on the Digital Video Recording
System which was purchased to make a reality television show;
10.
Accordingly, on April 7, 2016, I filed a Pro Se brief
advising the Court that the Affidavit in support of Defendant,
Trenton Police Department was false and that I had video proof
of the officer’s false statements on the DVR’s. (See a copy of
my Pro Se Brief attached as Exhibit “F”);
11.
On January 8, 2016, Jacqueline A. DeGregorio, Esq.,
attorney for the Trenton Police Department sent Edward Forchion
a Notice to Preserve Evidence including hard drives and storage
media. (See a copy of Jacqueline A. DeGregorio’s letter dated
April 8, 2016 and attached as Exhibit “G”);
12.
On April 27, 2016, the Trenton Police Department,
dressed in tactical gear, carrying military grade weapons
descended on my business and temple;
13.
The primary purpose of the “raid” was to seize the
DVR’s and hard drive which contained exculpatory evidence,
evidence for the civil rights case and evidence of Captain
Gonzalez’s perjury;
14.
Essentially, the Trenton Police Department was able to
steal evidence of their illegal and unlawful conduct;
15.
The Mercer County Prosecutor’s Office has refused to
provide me with the Affidavit of Probable Cause presented to the
Hon. Anthony Massi at the time the search warrant was requested;
3
16.
I retained Edward Harrington Heyburn, Esq. to
represent me in the criminal matters and represent me in the
civil rights case in Federal Court, Edward Forchion and Liberty
Bell Temple III v. City of Trenton, et al.;
17.
On my behalf, Mr. Heyburn demanded a probable cause
hearing on May 21, 2016. See a copy of Edward Harrington
Heyburn’s letter dated May 21, 2016 filed with this Court and
attached as Exhibit “B”);
18.
On my behalf, Mr. Heyburn demanded a probable cause
hearing on June 3, 2016. See a copy of Edward Harrington
Heyburn’s letter dated June 3, 2016 filed with this Court and
attached as Exhibit “C”);
19.
Neither the Court nor the Mercer County Prosecutor’s
Office has scheduled a Probable Cause Hearing;
20.
Neither the DVR’s or the hard drives have evidentiary
value;
21.
The DVR’s contain video proof necessary to proceed
with my civil rights case in Federal Court;
22.
The DVR’s also contain recordings that I was in the
process of editing to pitch a reality television show;
23.
The hard drives contains irreplaceable data including:
a.
Thousands of family pictures;
b.
Original manuscripts of three unpublished books I
wrote where there are no other copies;
c.
Original manuscripts of three published books I
wrote where there are no other copies;
d.
Downloads of hundreds of documents;
4
e.
Backups
f.
Personal
thoughts
pro
20 years.
g.
Every
one
h.
Legal
documents,
se Motions.
product
24.
All
Court
is
telephones;
including
diaries,
There
no backups
are
of my published
This
by the
work
Department
my websites
writings,
spanning
protected
the
for
Trentonian
correspondences,
material
attorney
is
client
ideas
and
copies;
Colmnns;
appeals
material
that
privilege
and
briefs,
is
attorney
doctrine;
of
these
inclined
acted
items
to
in
good
25.
The or.i.ginal
26.
I am concerned
can
be copied
believe
that
to
the
the
Trenton
extent
that
Police
faith;
DVR's
and hard
drives
can
be returned
to
me;
and/or
'all
of
the
Mercer
County
the
contents
of
27.
enjoining
Prosecutor's
and
hard
that
Accordingly,
the
Trenton
Office
the
Trenton
Prosecutor's
these
Office
from
Department
will
for
a preliminary
Department
erasing
any
and/or
of
the
the
data
drives.
DATED this
the
:Ji!ayof
delete
some or
files;
I am asking
Police
Police
_,Ji.
Edward
5
Forchion
injunction
Mercer
County
on these
DVR's
State of New Jersey
County of Mercer
SWORNto
the
/J1
~D/b
and SUBSCRIBED before
me, the
day of•~J'-"Ll'C"1L-<-._
_____________
year,
by Edward
Forchion.
~~ujh%-p
State
of New Jersey
[Notary's
signature.]
!'it/rr/Uf/
a/- J,cu_,v
s-fuk or!l(J
6
undersigned
authority,
on
_
Edward Harrington Heyburn, Esq.
7 Poplar Run
East Windsor, New Jersey 08520
Tel. (609) 240-5578
Fax (609) 228-5115
heyburn@heyburnlaw.com
May 21, 2016
(Sent Via Electronic Filing and U.S. Mail)
Stephanie Katz, Assistant Prosecutor
Mercer County Prosecutor’s Office
P.O. Box 8068
Trenton, NJ 08650-0068
RE:
State v. Edward Forchion
Pros. No. 16-1706-001
Indictment No. N/A
Dear Ms. Katz:
Please be advised that I represent Edward Forchion in the above
captioned matter. I respectfully request that a Probable Cause Hearing be
scheduled within a reasonable time pursuant to Rule 3:4-3 which provides in
relevant part:
3:4-3. Hearing as to Probable Cause on Indictable Offenses
(a) If the defendant does not waive indictment and trial by jury but does
waive a hearing as to probable cause, the court shall forthwith bind the
defendant over to await final determination of the cause. If the defendant
does not waive a hearing as to probable cause and if before the hearing
an indictment has not been returned against the defendant with respect
to the offense charged, after notice to the county prosecutor a judge of
the Superior Court shall hear the evidence offered by the State within a
reasonable time and the defendant may cross-examine witnesses offered
by the State.
***
If you have any questions, please do not hesitate to contact me.
Very truly yours,
EDWARD HARRINGTON HEYBURN, ESQ.
cc:
Hon. Peter Warshaw (Via Electronic Filing)
Edward Forchion
Edward Harrington Heyburn, Esq.
7 Poplar Run
East Windsor, New Jersey 08520
Tel. (609) 240-5578
Fax (609) 228-5115
heyburn@heyburnlaw.com
June 3, 2016
SECOND REQUEST
(Sent Via Electronic Filing)
Stephanie Katz, Assistant Prosecutor
Mercer County Prosecutor’s Office
P.O. Box 8068
Trenton, NJ 08650-0068
RE:
State v. Edward Forchion
Pros. No. 16-1706-001
Indictment No. N/A
Dear Ms. Katz:
Please be advised that I represent Edward Forchion in the above
captioned matter. I respectfully request that a Probable Cause Hearing be
scheduled within a reasonable time pursuant to Rule 3:4-3 which provides in
relevant part:
3:4-3. Hearing as to Probable Cause on Indictable Offenses
(a) If the defendant does not waive indictment and trial by jury but does
waive a hearing as to probable cause, the court shall forthwith bind the
defendant over to await final determination of the cause. If the defendant
does not waive a hearing as to probable cause and if before the hearing
an indictment has not been returned against the defendant with respect
to the offense charged, after notice to the county prosecutor a judge of
the Superior Court shall hear the evidence offered by the State within a
reasonable time and the defendant may cross-examine witnesses offered
by the State.
***
If you have any questions, please do not hesitate to contact me.
Very truly yours,
EDWARD HARRINGTON HEYBURN, ESQ.
cc:
Hon. Peter Warshaw (Via Electronic Filing)
Edward Forchion
I
I
i
Jacqueline A. DeGregorio, Esq.
Attorney ID #022661982
WEINER LESNIAK LLJ>
629 Parsippany Road
I
I
P.O. Box438
I!
Parsippany, NJ 07054-0438
Phone: (973} 403-1100 Fax: (973} 403-0010
Attorneys for Defendants City of Trenton
and Trenton Police Department
Our File No.: 88291
1064908_1
l
UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF NEW JERSEY
LIBERTY BELL TEMPLE lllAND
EDWARD FORCHION
Civil Action No. 16-1339-PGS-LHG
Civil Action
Plaintiffs,
Certification of Edelmiro Gonzalez Jr.
t
v.
!
!
I
CITY OF TRENTON AND THE
TRENTON POLICE DEPARTMENT
Defendants .
"·
Edelmiro Gonzalez Jr ., of full age, hereby certifies as follows:
1.
I am a member of the Trenton Police Department ("TPD") possessing the rank of
Captain. In my supervisory capacity with the 1PD, I am fully familiar with the facts giving rise to
this matter.
2.
Since January J6, 2016, the TPD has received. and responded to complaints for
various incidents in the proximity of322 East State Street at which plaintiff, Edward Forchion
("Forchion'') oper?tes a restaurant/delicatessen (the "deli"); and the adjacent property located at
320(B) East State Street which is the location of a purported "cannabis temple" (the ''temple") run
by plaintiff, Liberty Bell Temple, III ('•Liberty Bell").
[
r-...
3.
The incidents at the deli/temple have included complaints for excessive noise, theft
and disorderly conduct The TPD has also issued summonses for violations of C ity ordinances
regarding parking and the hours of operation of a business.
4.
On January 17, 2016 at 12 :23 am., a complaint of excessive noise eman ating from
the deli/temple was received. The caller indicated that loud music and people makin g noise happens
every weekend_ See redacted Event Report attached as Exhibit "A ".
5.
On February 7, 2016 at 3 :27 am ., a complaint ofloud noise emanating from the
deli/temple was received. See redacted Event Report attached as Exhibit "B" .
6.
On February 28, 2016 at 2:30 a.m., officers were detailed to 322 East State Street on
the report from a private individual of disorderly conduct involving a street fight When the officers
arrived there were approximately 30 people outside of the deli/temple. The crowd had apparently
exited 322 East State Street. One person was arrested and charged with resisting arrest.,·improper
behavior and failure to disperse. See redacted Event and Incident/Investigation
Reports attached as
Exhibits "C" and "D".
7.
On March 2, 2016 at 6:55 p.m., officers were detailed to 322 East State Street on the
report of a theft . Forchion was the purported victim and claimed that his iPad had been stolen . The
officers took a report and left. See redacted Event and Incident/Investigation
Reports attached.as
Exluoits "E" and "F'.
8.
On March 6, 2016, a complaint came in at 3:50 a.m. regaI"ding the deli/temple. See
red.actedEvent Report attached as Exhibit "G" .
9.
On March 20, 2016, at 1 :00 a.m. while officers were driving down East State Street
they observed that the lights were on in the deli at 322 East State Street and that an illuminated
"open" sign was also turned on. See redacted Event and lncident/lnvestigation
Reports attached as
I
!
'
Exhibits "H'' and "l". The officers further observed patrons walking in.and out of fae deli. Ooe
woman walked out with a container of food from which she was eating chicken. Id. When Forchion
saw the officers he hunied. the patrons out of the deli and into the temple and immediately shut off
the lights and illuminated sign in the deli. Id. When the officers knocked on the door no one
answered . Id. However, when they were walking away Forchion stuck his head out and said
"You're wasting valuable resources." Id. Forchion was mailed a summons for violation of the City
Ordinance regarding the hours of operdtion of a business. Id.
I certify that the foregoing statements made by me are true. I am aware that if any of the
foregoing statements made by me are willfully false, I am subject to punishment
Dated:
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