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Morongo Valley
Felony Cultivation
Return of Property Motion 1
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Return of Property Motion
May 07, 2004 - page 1

1 JOHN E. Roth
Law Offices of the Public Defender
2 By: William B. Sasnett, Jr.
Deputy Public Defender
3 State Bar No. 62633
6527 White Feather Road
4 Joshua Tree, California 92252
Telephone: (760) 366-5789
5
Attorney for Defendant
6 Jeffrey Craig Canada

7

8 IN THE SUPERIOR COURT OF THE STATE OF CALIFORNIA

9 IN AND FOR THE COUNTY OF SAN BERNARDINO

10 JOSHUA TREE DISTRICT

11

12 People of the State of California, ) CASE No. FMB-006414
)
13 Plaintiff, ) NOTICE OF MOTION FOR
) RETURN OF PROPERTY
14 vs. )
)
15 Jeffrey Craig Canada, )
)
16 Defendant, ) Date: May 26, 2004
) Time: 8:30 a.m.
17 ) Place: Department M-2
) Estimate: 15 minutes
18 ____________________________________)

19

20 TO: THE ABOVE-ENTITLED COURT, AND TO THE DISTRICT ATTORNEY

21 OF THE COUNTY OF SAN BERNARDINO, STATE OF CALIFORNIA:

22 PLEASE TAKE NOTICE that on the 26th day of May, 2004, in

23 Department M-2, at the hour of 8:30 a.m., or as soon thereafter

24 as the matter may be heard, the defendant, Jeffrey Craig Canada,

25 will move for an order for the return of his property.

26 This motion will be made on the grounds that the property

27 seized with a warrant was unreasonable because any of the fol-

28 lowing apply:

Page 1 of 7
Defendant's Motion for Return of Property

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