Case 2:16-cr-00046-GMN-PAL Document 3073 Filed 12/29/17 Page 1 – 2
Case No.: 2:16-CR-00046-GMN-PAL NOTICE OF APPEARANCE
Case No.: 2:16-CR-00046-GMN-PAL NOTICE OF APPEARANCE
Case No. 2:16-cr-00046-GMN-PAL Judge: Gloria Navarro Hearing: January 8, 2018 Courtroom – 7C RYAN C. BUNDY MANDATE FOR DISMISSAL OF SUPERSEDING INDICTMENT
Case No. 2:16-cr-046-GMN-PAL RYAN W. PAYNE MOTION TO DISMISS
Includes Minutes From 12-20-17 Hearing Where Gloria Navarro declared a Mistrial. Case No. 2:16-cr-00046-GMN-PAL Judge: Gloria Navarro Hearing: January 8, 2018 Courtroom – 7C MANDATE FOR DISMISSAL OF SUPERSEDING INDICTMENT
Case No. 2:16-cr-00046-GMN-PAL-4 Redacted Veresion DEFENDANT RYAN PAYNE’S SEALED MOTION TO DISMISS BASED ON DISCOVERY PROVIDED ON NOVEMBER 17, 2017 (Expedited Treatment Requested1)
Case No. 2:16-cr-00046-GMN-PAL-4 Redacted Version DEFENDANT RYAN PAYNE’S SEALED MOTION TO DISMISS BASED ON DISCOVERY PROVIDED ON NOVEMBER 21, 2017 (Expedited Treatment Requested)
Case No. 2:16-cr-00046-GMN-PAL-4 Redacted Version SEALED SUR-REPLY OF DEFENDANT RYAN PAYNE IN SUPPORT OF MOTION TO DISMISS (ECF NOS. 2856, 2833, 2906)
Case No. 2:16-cr-00046-GMN-PAL-4 Redacted Version SEALED MOTION TO DISMISS FOR CONTINUING PATTERN OF BRADY AND OTHER DISCOVERY VIOLATIONS (Expedited Treatment Requested)
Via Hand Delivery, Email, and Federal Express December 21, 2017 The Honorable Jeff Sessions Attorney General U.S. Department of Justice 950 Pennsylvania Ave. N.W. Washington, D.C. 20530-0001 URGENT! FOR IMMEDIATE CONSIDERATION Re: Gross Prosecutorial Misconduct and Non-Meritorious Charges Against Cliven Bundy Which Now Require Dismissal of All Criminal Charges, An Ethics Investigation, And The Termination and Prosecution of Department Prosecutors. Dear Jeff: As you know, shortly after your confirmation as attorney general early this year, we spoke by phone. During our conversation, I requested that you review the criminal prosecution of my client Cliven Bundy and by extension his sons […]
Mr. Payne respectfully requests the opportunity to travel to Montana, his home-town and, most importantly, where his children reside, between December 23, 2017 and December 27, 2017. Mr. Payne would stay with his girlfriend, Ariel Rincon, in Anaconda, Montana. Pretrial Services has all the contact information for Ms. Rincon, as well as Mr. Payne’s mother—both of whom live within blocks of each other. In addition, Mr. Payne’s grandmother lives nearby. Mr. Payne understands that since he is also subject to Pretrial Services supervision in Oregon, Mr. Payne would need the authorization from the Oregon Court. Mr. Payne is petitioning simultaneously […]