Professional Documents
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Now comes the Defendant, John Charles Gonzalez, by and through counsel and moves for an
order pennitting him to file certain exhibits under seal for the reasons set forth herein.
ie Drive
Vandalia,OH 45377
(937) 454-5544
Attorney for Defendant
MEMORANDUM
As the Court is aware, the Defendant has filed three separate motions which address the
propriety of the State's conduct in the instant case. In support of these motions, exhibits have been
referenced which the Defendant asserts to support his referenced government impropriety.
Certain exhibits are highly provocative and sexually explicit. For the benefit of all parties, it is
respectfully submitted that these exhibits should not be matters of public record.
Accordingly, the Defendant would respectfully submit he be granted leave to submit Exhibits
" F", " G" and "H"" referenced in his motions herein under seal.
575 S. Di e Drive
Vandalia,OH 45377
(937) 454-5544
Attorney for Defendant
CERTIFICATE OF SERVICE
I hereby certifY that a copy of the foregoing Motion to File Certain Documents Under Seal was
served on John M. Scott, Jr., Prosecutor's Office, 301 West Third St., Box 972, Dayton, Ohio,
45422, by ordinary U.S . mail service this 1'1+hday of November, 2005 ..
JEF N #0010098)
Attorne for Defendant