IN THE MAGISTRATE'S COURT OF THE KINGDOM OF ALEXANDRIA
CRIMINAL ACTION
The Crown
Prosecution
v.
Stratton LLC, Emmet99, Maelzarun, Mr_GrapeJelly, FTLCEO, Talion77
Defendants
INTRODUCTION OF EVIDENCE, ENTREATY TO COMPEL
The defense would like to introduce ibney0's submission as D-007.
Additionally,
Statements in that evidence (entered as D-007-01 and D-007-02) imply the existence of communications between pricelessAgrari, FTLCEO, and Redmont law enforcement about an earlier deal that was structurally similar to the deal they made with the Crown. The defense moves the Court to compel pricelessAgrari and FTLCEO to produce a record of their Stratton-related conversations with Redmont law enforcement.
Additional statements in that evidence (entered as D-007-03) imply that ibney0 received information from Redmont directly about pricelessAgrari and FTLCEO. The defense moves the Court to compel ibney0 to produce their Stratton-related communications with Redmont law enforcement.
The defense moves the Court to compel ibney0 to enter a version of D-007 that includes images which are missing from this archive copy. (an example is entered as D-007-04) In particular, images of necessary context from third-party conversations which were shared between the parties as evidence are seemingly completely missing from the evidence.
Nyeogmi Choi
Director, Public Defense
Kingdom of Alexandria