IN
THE SECOND JUDICIAL DISTRICT COURT
COUNTY
OF BERNALILLO
STATE
OF NEW MEXICO
DAVID DERRINGER
Plaintiff,
No.
CV-2012-1307
v.
DEBBIE HARMES, IRWIN HARMES, et al
Defendants,
PLAINTIFF’S LIST OF FACT WITNESSES AND
EXHIBITS
COMES NOW the Plaintiff with his list of witnesses and
exhibits to be used in the trial on this matter.
1.
Plaintiff will call as witness himself, David Derringer
to testify over all matters.
2.
Plaintiff will call Bruce Davis to testify over matters
involving Barrie Derringer and all matters of assault and battery and
conversion occurring on February 4, 2012, and that Barrie Derringer consoled
David Derringer after the assault and battery and that David Derringer at no
time on February 4, 2012 “knocked Barrie down, hurt her hit, or kept her from
leaving”, and in fact that David Derringer did not touch Barrie at any
time.
3.
Plaintiff will call Ramon of Busy Bee Autobody and
several employees to testify over the incidents of February 4, and 25, 2012 and
witness to the vehicles used having logos of Sun Vista.
4.
Plaintiff will call Dave of Dave’s Auto Detail Shop and
several employees to testify over the incidents of February 4, and 25, 2012 and
witness to the vehicles used having logos of Sun Vista.
5.
Plaintiff will call Barrie Derringer aka Barrie Crowe
to testify to assault and battery and conversion of incidents of February 4,
and 25, 2012 and having possession of David Derringer’s personal property, and
consoling her husband after the assault and battery of February 4, 2012, and
her testimony under oath of being suicidal, having done assault and battery
against her husband in domestic violence, her testimony under oath that she
lies, and her testimony that she uses medications for emotional stability and
that she had 12 persons with her in the incidents of February 4, and 25, 2012,
and her testimony under oath that it was Irwin Harms that destroyed padlocks,
and manipulated the electrical of 101 Florida SE Unit C in destruction of
property, and that 12 persons including the Defendants touched, moved and
loaded David Derringer’s personal property, including a loaded firearm on
February 4, 2012.
6.
Plaintiff will have the other 10 persons involved in
the incidents of February 4, and 25, 2012 testify as to helping Barrie
Derringer and concerning the assault and battery of February 4, 2012.
7.
Plaintiff will introduce exhibits of the APD reports of
burglary and conversion of property of February 4, 25, and March 8, 2012.
8.
Plaintiff will introduce court testimony of Barrie
Derringer aka Barrie Crowe from DV-12-234, DM-12-610 and CV-12-10816 showing 12
persons involved in the incidents of February 4, 25 of 2012, Irwin Harms
manipulating electrical and destruction of padlocks, assault and battery of
domestic violence, use of bipolar medications, being suicidal, admission of
lying, admission to herself and others having physical possession of David
Derringer’s personal property and other related testimony under oath in these
related cases.
9.
Plaintiff will enter the Bernalillo County Sheriff investigation
report that has precipitated the DA criminal complaint against Barrie Derringer
aka Barrie Crowe, and any ramifications of that ongoing matter.
10. Plaintiff
will enter APD and Bernalillo County Sheriff Complaints filed by David
Derringer against all of the persons involved in the incidents of February 4, 2012.
11. Plaintiff
will call un-named witnesses for impeachment purposes.
12. Plaintiff
will introduce various documents for impeachment purposes.
13. Plaintiff
reserves the right to call any and all Defendant witnesses.
Respectfully submitted by __________________________
David Derringer
CERTIFICATE OF SERVICE April
11, 2013
I hereby certify
that I delivered a copy of this pleading for filing to:
Second Judicial District Court
400 Lomas NW
Albuquerque,
New Mexico 87102
And mailed to Floyd
Wilson for Defendants Harms at:
Floyd Wilson
12480 Hwy. 14 North. Ste.
105
Cedar Crest,
NM 87008
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