Free Letter - District Court of Delaware - Delaware


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Date: July 20, 2005
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State: Delaware
Category: District Court of Delaware
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Case 1 :05-cv-00282-GIVIS Document—7"_W”e`E”i`"0`W19/2005 Page of_4 nm
‘ Q § j
Supamoa Couar
OF THE
` STATE OF DELAWARE
E. Scorr BRADLEY P.O. Box 745
Jypgg COURTHOUSE
GEORGETOWN, DE 19947
November 24, 2003
Guango F . Correa ( __ Q I LQ Y}
SBI# 00180802 . _‘ r T" ‘‘ ‘ `‘‘‘ ‘ ‘‘‘`‘ . I $2 E.?-C,
Delaware Correctional Center g . — . A , g § {Q
1181 Paddock Road [ I M- ig ·e`· _ g _0 e»
Smyrna, DE 19977 , g, __ ___ e ¤=
Re: Def. ID# 0204015491 ‘ = -— ‘ . - D. gg T
.¤<
Dear Mr. Correa:
I received the following irom you: (1) Letter dated October 9, 2003; (2) Motion for
Postconviction Relief; (3) Motion for Sentence Modification; and (4) Petition for Expungement
of Criminal Record. I will consider each document in the order above.
l.- In your letter dated October 9, 2003, you claim that David E. Jones was using your (
name. Our records indicate that you have an afk/a of David Jones on case number 020401549l.
However, our computer has your correct date of birth and address as listed in your letter,
Guango Correa, 110 Cherry Drive, Magnolia, Delaware Q; 2, date of birth March 4, 1965. The
address and date of birth of David E. Jones is also ` ur computer for his case. The
confusion is that when you {ile documents you continue them as: Guango F. Correa alkaf
David E. Jones. Since you continue to file documents li g both names, copies go into both
your file and David Jones’ file. Regarding your request to remove charges that do not belong to
you, you must contact the State Bureau of Identihcation, P.O. Box 430, Dover, Delaware 19903.
The State Bureau of Identification is the agency responsible for identification.
Cf ><. I

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2. You filed your first motion for postconviction relief on May 23, 2003. I denied your "
first motion for postconviction relief on October 3, 2003. You filed your second motion for
postconviction relief on October 27, 2003. Your second motion for postconviction relief is
denied because all of the grounds that you raised in it could have been raised in your first motion
for postconviction relief}
3. You filed a Motion for Sentence Modification on October 27, 2003. As I stated in i
my letter to you dated October 3, 2003, you are gt being held on a sentence from this Court. E
You are serving a 24 month sentence from Family Court in and for Kent County. Therefore, {
your request for a sentence modification is moot. _
4. You filed a Petition for Expungement of Criminal Record on October 27, 2003 (C.A.
No. 03X- 10-005 —ESB). The Court will not entertain a Petition for Expungement of Criminal
Record until you can provide proof that you have initiated an investigation regarding €
identification with the State Btneau of Identification and that investigation has been completed. y
Upon the conclusion of such investigation, you may file a Petition for Exptmgement of Criminal ,
Record so long as you provide the Court with documentation from the State Bureau of ‘
Identification with your petition.
You continue to file duplicate applications before this Court and you have been advised
that Superior Court has no jurisdiction over a Family Court sentence. You merely repackage that
which has been previously denied by tiling under the various rules ofthe Court. These repetitive
filings are redundant and will no longer be considered by the Court.
IT IS SO ORDERED.
i Very truly yours, "
E. Scott Bradley
ESB:tll
cc: Prothonotary’s Office (Def ID# 0204015491)
Prothonotary’s Office (03X-l0-005-ESB)
3. )"j"Tj“i"i F . . . . . ..
[Super. Ct. Crim. R. 6l(i)(2).
2

Case 1:05-cv-00282-Gl\/IS Document 7 Filed 07/19/2005 Page 3 of 4
2.
2.
ldeclare under pcnalty of perjury that the foregoing is true and correct.
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4

Case 1:05-cv-00282-GIVIS Document 7 Filed 07/19/2005 Page 4 of 4

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