TRO’S

Temporary Restraining Orders are one of our specialties.  A correctly done declaration makes things go fast and easy:

WILLIAM A. WILLIAMSON, Self-Represented
000 N. Jones Street

Manhattan Beach, CA 90245
Phone: (310) 944-2055

Applicant, In Pro Per
SUPERIOR COURT OF THE STATE OF CALIFORNIA
COUNTY OF LOS ANGELES, SOUTH WEST DISTRICT

PROTECTED PERSON: JANEY BRIGHT

RESTRAINED PERSON: LARRY EDWARDS

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Case No.: BF0018170

DECLARATION OF WILLIAM A. WILLIAMSON IN SUPPORT OF APPLICATION FOR DOMESTIC VIOLENCE ORDER TO RESTRAIN LARRY EDWARDS

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I, WILLIAM A. WILLIAMSON, declare as follows

  1. That I am an adult resident of the State of California.  I have personal knowledge and information of the facts set forth in this declaration and if called to testify as a witness, I could and would competently testify thereto.
  2. That I am the husband of Chantel Bright, and step father of JANEY BRIGHT.
  3. That Chantel Bright is the biological mother of JANEY BRIGHT.
  4. That Chantel Bright and Susie’s father LARRY EDWARDS were never married.
  5. That LARRY EDWARDS is the biological father of JANEY BRIGHT and has a conviction for a violent felony in Riverside County, California.
  6. That due to the violent acts of LARRY EDWARDS, on November 8, 2000 a Stipulated Restraining Order was granted on behalf of Chantel Bright against LARRY EDWARDS in Los Angeles Superior Court Case No. NR 000 000 and that order expired on November 11, 2003.  A true and correct copy of that restraining order is attached hereto as EXHIBIT “A”.
  7. That LARRY EDWARDS has a documented history of an ongoing and continual pattern of violent criminal acts including burglary, felony vandalism, carjacking, terrorist threats and robbery.
  8. That JANEY BRIGHT is a fourteen (14) year old minor born on April 23, 1995.
  9. 9. That a true and correct copy of Los Angeles Superior Court Order in Case No. BF 0018 170 granting Chantel Bright full legal and full physical custody of JANEY BRIGHT is attached hereto as EXHIBIT “B”.

10. That on January 19, 2010, Chantel discovered a prepaid cell phone hidden in Susie’s room.  The pre paid cell phone was given to Susie by her father LARRY EDWARDS.  Susie has also had her own separate cell phone for years and the only numbers called on her new clandestine cell phone were to her father Pokii and Pokii’s girlfriend Brice.

11. As a result of the above January 19, 2010 incident an argument ensued and Susie left our home, ran away to her fathers residence in Palm Springs, CA, did not return, and I filed a missing person report with the Redondo Beach Police Department.

12. As a result of the January 19, 2010 incident Chantel Bright and Larry Edwards worked out a temporary stipulated agreement for temporary joint physical custody only, with Chantel maintaining full legal custody of Susie.

13. That on Valentine’s Weekend of February 14, 2010, my wife and I went to Mexico on a planned trip that Susie was aware of.

14. That at approximately 12:30 a.m. on February 14, 2010, our house sitter Patti Orzman observed LARRY EDWARDS driving Susie in his motor vehicle and aiding and abetting her as she broke into our residence through a window at 999 Pacific Coast Highway, Redondo Beach, CA and stole items from our home.

15. That a true and correct copy of a third party report of the September 2, 2009 California DMV suspension of Larry Edwards’s California Drivers License for failure to pay child support for JANEY BRIGHT is attached hereto as EXHIBIT “C”.

16. That a true and correct copy of Redondo Beach Police Department report No. 999 regarding this February 14, 2010 break in is attached hereto as EXHIBIT “D”.

17. That Manhattan Beach Police Department Detective Steve Jones informed me that Susie has displayed the behavior of an at-risk minor towards him in this matter.

18. That my wife and I are afraid that this new ongoing and continual pattern of delinquent behavior from my step daughter Susie is the result of her newly increased contact with Larry Edwards and seek the within Restraining Order to prevent any and all further and future contact between the two of them.

19. That due to his documented history of an ongoing and continual pattern of violence and crime I am afraid for the safety of myself, my wife, and my step daughter Susie and respectfully request that LARRY EDWARDS be ordered to stay 100 yards away from JANEY BRIGHT, her school, her residence, her friends residences, myself, my residence and my place of business and Chantel Bright.

20. I further request that Larry Edwards be ordered not to have any telephone, cell phone, Internet, text messaging or any other contact whatsoever with JANEY BRIGHT, Chantel Bright, or myself.

I hereby declare on February 24, 2010, under penalty of perjury of the laws of the State of California that the forgoing is true and correct.

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WILLIAM A. WILLIAMSON, Declarant

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