RIDGEWAY SUPERIOR COURT
CARDINALMONTERRUH,
Plaintiff,
v.
RIDGEWAY COUNTY SHERIFF’S
OFFICE;
MISTYPRO2, in their quasi-official
capacity as a Lieutenant of the
Ridgeway County Sheriff’s Office;
D_REAMILY, in their quasi-official
capacity as a Corporal of the Ridgeway
County Sheriff’s Office,
Defendant.
Case No. RSC-CV-1054
APPLICATION FOR SUBPOENA
DUCES TECUM
Presiding Judge: The Hon. koalamedvedeva
APPLICATION FOR SUBPOENA
COMES NOW, Plaintiff CardinalMonterruh, by and through their undersigned counsel,
requesting a subpoena duces tecum for records as set out below:
- All reports, documents and transcripts from any Internal Affairs Case involving the
Plaintiff, CardinalMonterruh.
- All reports, documents and transcripts from the Internal Affairs Case into AlexMonterruh
for his actions on the 27th of May 2023.
- Ridgeway County Sheriff’s Office: Internal Affairs Policy on Investigative Procedure and
Disciplinary Action.
Dated: June 27th, 2023 Respectfully submitted.
MatthewSandringham
Attorney at Law
D: acarlyle
Counsel of Record
RIDGEWAY SUPERIOR COURT
CARDINALMONTERRUH,
Plaintiff,
v.
RIDGEWAY COUNTY SHERIFF’S
OFFICE;
MISTYPRO2, in their quasi-official
capacity as a Lieutenant of the
Ridgeway County Sheriff’s Office;
D_REAMILY, in their quasi-official
capacity as a Corporal of the Ridgeway
County Sheriff’s Office,
Defendant.
Case No. RSC-CV-1054
AFFIDAVIT
Presiding Judge: The Hon. koalamedvedeva
AFFIDAVIT IN SUPPORT OF SUBPOENA
I, MatthewSandringham, Attorney for the Plaintiff, make the following declaration in
support of the Application for Subpoena Duces Tecum.
On the 26th of June 2023, I was contacted by a third party in this case - who at this time
shall remain confidential. This third party, who is providing non-legal counsel to the Plaintiff
requesting my services as Legal Counsel to the Plaintiff.
On the same day, I began consulting with the Plaintiff in regards to potential legal action
that the Plaintiff sought to bring against the Ridgeway County Sheriff’s Office regarding his
recent Internal Affairs Investigation.
Within my consultations with the Plaintiff, he made an admission that the Defendant -
mistypro2 - has been wanting to discharge him from the Sheriff’s Office for some time. As such,
we believe that these documents will help us prove a pattern of bias against the Plaintiff, which is
alleged in the Civil complaint.
Furthermore, these documents will prove that the Public Safety Act has been violated in
every investigation into the Plaintiff’s alleged conduct whilst on duty.
As such, the Plaintiff requests that the Court grants the Application for Subpoena Duces
Tecum, and commands the Defendants to produce all documents and transcripts requested.
I, MatthewSandringham, swear under the penalties of perjury, that to the best of my
knowledge all statements incorporated in this affidavit are true. I understand that I can be held in
contempt of court, and charged with perjury if the court understands that the statements
conveyed are untruthful.
Dated: June 27th, 2023 Respectfully submitted.
MatthewSandringham
Attorney at Law
D: acarlyle
Counsel of Record