Beruflich Dokumente
Kultur Dokumente
STATE OF FLORIDA,
v.
TERRY G. TRUSSELL,
Defendant.
NOTICE OF REMOVAL
Pursuant to 28 U.S.C. 1442 and 1446, non-party subpoena recipient the
Honorable Ted S. Yoho, U.S. Representative for the 3d congressional district of
Florida, hereby removes to this Court the subpoena ad testificandum issued to him
by the Circuit Court in and for Dixie County, Florida, Criminal Division. See Ex.
1 (Subpoena to Congressman Ted Yoho). In the underlying action, defendant
Terry G. Trussell is being prosecuted for impersonation of a public officer,
intimidating public officials, and unlawful use of simulated legal process, with a
trial date set for June 6, 2016. See Ex. 2 (Information, State of Florida v. Trussell,
Case No. 2014-201-CF (Fla. Cir. Ct. 2014)). Mr. Trussell served the removed trial
subpoena ad testificandum on April 28, 2016. See Ex. 3 (Letter from Todd B.
Tatelman, Sr. Asst. Counsel, Office of General Counsel, to Inger M. Garcia, Esq.
(Apr. 28, 2016)).
Attorneys for the Office of General Counsel for the U.S. House of
Representatives are entitled, for the purpose of performing the counsels
functions, to enter an appearance in any proceeding before any court of the United
States or of any State or political subdivision thereof without compliance with any
requirements for admission to practice before such court. 2 U.S.C. 5571(a).
CERTIFICATE OF SERVICE
I hereby certify that on May 25, 2016, I filed one copy of the foregoing
Notice of Removal in the U.S. District Court for the Northern District of Florida
by CM/ECF. I further certify that I served one copy by first class mail, postage
prepaid, and via electronic mail on:
Inger M. Garcia, Esq.
Garcia Legal Group, P.A.
4839 Volunteer Road #514
Fort Lauderdale, Florida 33330
attorney@ingergarcia.com
Counsel for Defendant, Terry G. Trussell