Case 24-1-00253-04 // Forensic Audit Trail
Instructs Esworthy to file Brady motion: (1) Deliberate loss/denial of exculpatory evidence — original 911 call audio suppressed for months. (2) Subject hounded
Requests preservation of: (1) Names and employers of Jeremiah and spouse — both worked for Rivercom 911, confirmed only via oral dialogue. (2) Why this isn't in
Addresses IAED EMD Protocol 33 violations alongside evidence preservation motion. Identifies CAD file discrepancies — Rivercom dispatch failed mandatory IAED Em
Addresses Justin Titus's no-contact order regarding witnesses. Subject provides essential assistance to patient Hrpcha (Gina) including medical and financial su
Esworthy claimed he didn't notice any crime when Jana/Jenna made threats on video — specifically threatening to 'slap the shit out of' subject. Subject confront
Attempts to reach Chase about Jeremiah's mother role as court stenographer — introduced as Jeremiah's mother on arrival at residence, then confirmed as stenogra
Transmits self-drafted Motion to Dismiss With Prejudice (Nov 5, 2025) summarizing GROSS MISCONDUCT and intentional attacks on civil rights by State of Washingto
Confirms availability for 3pm call with Chase and family member James Hell. Notes subject misplaced court papers and is unsure of next appearance date — consist
Titus paralegal transmits police reports and statements for case 24-1-00253-04. First formal discovery transmission — five weeks post-incident. This is when sub
'I never got a call — I figured you must be extremely busy.' Early indicator of Titus's pattern of non-engagement. Subject attempting to discuss exculpatory evi
'I'm frustrated about the potential loss of exculpatory evidence.' Specifically the original 911 audio call — most critical single piece of evidence proving med
Titus informed of Bagshaw identification via FFMPEG forensic analysis — Bagshaw photographed passing patrol cars and fleeing scene. Warrant quash requested. Eth
Formal declaration documenting realization of coordinated conspiracy. Filed as part of Change of Venue motion. Documents interconnected roles of Rivercom, Johns
Reports to King County Ombudsman: Bagshaw photographed passing patrol car dash cams and fleeing the scene — confirmed by FFMPEG forensic analysis. Subject chara
Formal ethics complaint to Washington State Bar Association. Chelan Superior Court, Cause #24-1-00253-04, Felony Harassment x3, Date of Incident July 4, 2024. S
Follow-up ethics complaint to WSBA. Continues documentation of pattern: five attorneys appointed/retained, all withdrew or refused to file substantive motions a
Mass outreach to: Seattle Times reporters crowe@seattletimes.com and cwinfrey@seattletimes.com, DHS FOIA, WSBA. Subject: false felony charges in Chelan County S
'I am facing false felony charges in Chelan County Superior Court (Case #2410025304) after reporting serious crimes by county officials who interfered with a 91
Chelan County official Pam Faircloth forwards public disclosure request to Rivercom911 regarding Johnson's employment status in case 24-1-00253-04. Attachments
DOJ Civil Rights Division confirmation: 'Thank you for submitting a report to the Civil Rights Division. Report successfully submitted — Please save your record
WA Secretary of State: B&T TOWING LLC (UBI: 604 973 377), Brandon Huntington, 9933 School St, Peshastin WA 98847. Annual report due 10/31/2024. Combined with de