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People's Counsel presents: the "real" world of Law, Justice, and government
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5-03-CV-258R, the final federal case before judicial complaints and cases
12-27-04 Peoples Response to southern Ohio USDC refusals & corruption
Response to defendant Ovington 02-09-05 ORDERS
04-27-05 defendant Rice ORDER Dismissing Demand for Grand Jury & Certification of Questions to The Supreme Court
Kentucky Supreme Court Case 98-SC-916-AO The People vs COMMONWEALTH OF KENTUCKY
1998 Kentucky attempt to prosecute for persisent offender with criminally obtained judgements
Ohio 1991 to present, courts, AGENCIES, and other
Senate Report 93-549 Termination of The National Emergency
DMCA agent and other designations, and Notices regarding Peoples' Counsel web site


                        IN THE COURT OF COMMON PLEAS

                         COUNTY OF GEAUGA, OHIO 

MAURICE E. BRAHIER                               : CASE NO. 91 DC000792 
11654 Claridon-Troy Rd. 
Chardon, Ohio  44024                             : JUDGE HANS R. VEIT 
(216) 635-0361 

                     DEFENDANT                   : AFFIDAVIT IN SUPPORT OF
     vs.                                            MOTION FOR LENIENCY   
GAIL S. BRAHIER                                    REGARDING MOTIONS ,    
11654 Claridon-Troy Rd.                            PETITIONS, AND         
Chardon, Ohio  44024                               AFFIDAVITS             
(216) 635-0361 

State of Ohio 
             ss 
County of Geauga

      MAURICE E. BRAHIER, being first duly sworn, according to law, 

deposes and states that: 

       1. He is the defendant in the within action.

       2. He and the plaintiff were married on or about April 26, 1982, in 

Richmond, Kentucky. 

      3. He and the plaintiff are the natural parents of two (2) minor 

children, daughter {name removed by request}, born November 24, 1985, and son[name removed]

Brahier, born December 14, 1987. 

      4. Affiant states that since the families credit and finances are 

tied up in plaintiff's career and legal representation he will be forced

to represent himself and children throughout the within action. 

      5. Affiant realizes the legal ramifications of this but does not

wish to bring any more financial burden to childrens welfare. 

      6. Affiant states that as of 10/19/91 the families financial burden

was $8,524.65 in non secured personal loans. 

      7. Affiant states that the family is not able to pay the bills at a

payoff rate now and feels that any more financial burden would not be to 

the childrens best interest. 

      8. Affiant requests the court grant leniency in his motions,

petitions, and affidavits in regard to proper legal terminology,

grammatical errors, and other clerical mistakes as he is not an attorney

(lawyer) nor para-legal.
             
                 FURTHER AFFIANT SAYETH NAUGHT.

                                                 _________________________ 
                                                 MAURICE E. BRAHIER 
                                                 DEFENDANT 

    Sworn to before me and subscibed in my presence this ______ day of
 __________________, 1991.   

                                                  ________________________ 
                                                 NOTARY PUBLIC 
PREPARED BY: 
MAURICE E. BRAHIER 
11654 Claridon-Troy Rd.
Chardon, Ohio  44024 
(216) 635-0361 

next page please if applicable                page no. 2


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