Welcome_Archive

Jean E. Allan

Agnes_S_Allan

Daughters_Promise

2005-0814 APPEAL

USDC_NH 1_06_cv_224

9E183

   

HIGH BIRCHES SPRINGS
[Mountain Spring Water]
STARTS PURE - STAYS PURE
NO WITNESS NO CASE
State of New Hampshire v. Jean E. Allan
Docket No. 09-cr-1293(198841C)
Opinion Based on Fact, Circumstantial Evidence & The Obvious
This "Opening Statement" introduction and following posting in this matter has been Written by Jean E. Allan aka Jean E. Allan Sovik, (hereinafter known as DEFENDANT), beginning on this date (March 15, 2012) in re: State of New Hampshire v Jean E. Allan Docket No: 09-cr-1293-4 (199163c,199164c) & 09-cr-1346 (20016164c) and in re:Docket No: 09-CR-4147, in the Jurisdiction of Laconia District Court, 23 Academy Street, Laconia, New Hampshire 03246

[INSTALLMENT 01]
 
[INSTALLMENT 02]

Sources of Information 6) 27 page "CASE STUDY" filed by Jean E. Allan with the Offices of Inspector Generals of US Securities Exchange Commission and US Department of Justice dated January 9, 2009, and incorporated into the State of New Hampshire's "FORENSIC COMPETENCY REPORT" dated October 13, 2009 and introduced into Evidence in re: State v Jean E. Allan 09-cr-1293-4

Sources of Information 9) "LETTER" from Jean Allan dated June 22, 2009 to Ms Angela L. Byers, Unit Chief, Initial Processing Unit, FBI, Washington DC  20535-0001


[This Page Last Updated on May 11, 2012]