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District Court, Nassau County, State Of New York

Traffic Court, Village of Hempstead

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The People Of The State Of New York

DMV, Hempstead Traffic Court                                                                                            ANSWER

 

                                          Complainant

- Against  -                                                                                                                                   SUMMONS NO

 

Allan Cronshaw Jr.                                                                                                                             LR 996665 5

                                          Defendant

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STATE OF NEW YORK)

                                                ) ss.:

COUNTY OF NASSAU  )

 

      ALLAN CRONSHAW JR., duly affirms, deposes and states, that I am the defendant in the above captioned action; I am fully familiar with the events and circumstances; and I make this affidavit in support of my Motion to Dismiss the above summons, and in Answer to the Reply of J. Barrington Jackson dated July 1st, 2004.

 

1.                  As a licensed practitioner of Law, Mr. Jackson has access to New York State case law that could have been cited.

2.                  The State of New York has not used the Empire State logo plates since the mid 1960’s, because they were barred from doing so by the court.   This was a well-publicized matter in the news media at the time because of the issue of someone being offended by the use of the logo on their plates, as well as the expense incurred with respect to the need to comply with the orders of the court to accommodate what was at the time portrayed as a minority of persons.

3.                  As a Village Prosecutor, Mr. Jackson has not notified the State Attorney General to provide him the option of intervening and defending the actions of the state with respect to defying a court order and reissuing the Empire State plates after a period of over 30 years. 

4.                  If this matter is dismissed by virtue of this motion, then it is mute.   But if the motion to dismiss is denied by the court, and it is proved on appeal or a possible civil rights action that the DMV is in contempt of a previous order of the court, then Mr. Jackson’s failure to both present case law and provide the Attorney General the opportunity to defend the actions of the state, will incur great needless expense -- especially since this is also an issue of religious/civil rights.  

5.                  An alternative to incurring this great needless expense of taxpayer monies is to permit the use of the Liberty plates so long as they reflect the proper registration identification.

6.                  In view of the above, the defendant Allan Cronshaw moves this court to dismiss all charges against him forthwith.

7.                  Please Note: This Answer as well as all other documents of this case will be uploaded to the web address at http://ebionite.com/hempstead.htm in order to present a full record.   In the same way that Mr. Jackson has failed to present case law or notify the Attorney General, the record will show that he has attempted to unlawfully manipulate this court by the issuance of bogus arrest warrants.   In the event that the Motion is denied, and the matter proceeds to trial, all the documents on this web site will be entered into the court record, and sufficient time will be required to subpoena the Commissioner of the Department of Motor Vehicles in order to testify with respect to why the state thwarted the orders of the court with respect to the re-issuance of the Empire State logo plates.

 

 

Dated: July 6th, 2004

 

                                                                                                                                                _______________________________

                                                                                                                                                                Allan Cronshaw Jr.

 

 

                                                                                              WITNESSES

 

The below signed individuals personally know the above signed Allan Cronshaw, and witness that he affixed his signature to the within affidavit in their presence.

 

 

 

_________________________                                                                                        _______________________________

  Harry Edward Holden                                                                                                                       Robert Wojtusiak

  2710 Gull Ave.                                                                                                                                 15 Primrose Dr.

  Medford, NY 11763                                                                                                                        New Hyde Park, NY 11040

 

 

 

 

 


 

 

Allan Cronshaw Jr.

480 Maitland St

East Meadow, NY 11554

 

July 6th, 2004

 

 

 

To The Clerk Of The Court

Hempstead Traffic Court

99 Nichols Ct.

Hempstead, NY 11554

 

 

 

Re: Notice of Motion for summons # LR 996665 5

 

Dear Sirs:

 

 

Within are the original and a file copy of the Answering affidavit to Mr. J Barrington Jackson’s Reply, and Mr. Jackson and the Village Prosecutor’s office will be served Certified Mail separately.   Additionally, all documents associated with the within matter will be uploaded to the web site at http://ebionite.com/hempstead.htm

 

 

 

Sincerely,

 

 

 

Allan Cronshaw Jr.