`NYSCEF DOC. NO. 66
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`INDEX NO. 20-46602
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`RECEIVED NYSCEF: 08/02/2022
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`STATE OF NEW YORK
`SUPREME COURT : COUNTY OF ORLEANS
`_____________________________________
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`AB 511 DOE,
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`Plaintiff,
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`v.
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`LYNDONVILLE CENTRAL SCHOOL
`DISTRICT AND LYNDONVILLE
`ELEMENTARY SCHOOL,
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` Defendants.
`_____________________________________
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`JUDICIAL SUBPOENA DUCES
`TECUM
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`Index No.: 20-46602
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`THE PEOPLE OF THE STATE OF NEW YORK
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`TO: Orleans County District Attorney’s Office
`13925 State Route 31, Suite 300
`Albion, New York 14411
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`WE COMMAND YOU, that all business and excuses being laid aside, you and each of
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`send complete and accurate certified copies of the below listed records to Hon. Deborah A.
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`Chimes, 50 Delaware Avenue – Part 33, Buffalo, New York 14202 on or before August __, 2022:
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`1. Entire, unredacted file regarding the investigation of Terry Houseman in approximately
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`1990 to 1991, but not limited to, unredacted copies of all reports, statements taken,
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`recordings, and all notes, testimony and accounts of the investigating officers.
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`Failure to comply with this Subpoena is punishable as a contempt of Court: and shall make
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`you liable to the person on whose behalf this Subpoena was issued for a penalty not exceeding
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`Fifty Dollars and damages sustained by reason of the failure to comply.
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`Dated: _____________________
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`_______________________________
`Honorable Deborah A. Chimes, J.S.C.
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`1
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`FILED: ORLEANS COUNTY CLERK 08/02/2022 08:40 PM
`NYSCEF DOC. NO. 66
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`INDEX NO. 20-46602
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`RECEIVED NYSCEF: 08/02/2022
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`STATE OF NEW YORK
`SUPREME COURT : COUNTY OF ORLEANS
`_____________________________________
`
`AB 511 DOE,
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`
`Plaintiff,
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`v.
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`LYNDONVILLE CENTRAL SCHOOL
`DISTRICT AND LYNDONVILLE
`ELEMENTARY SCHOOL,
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` Defendants.
`_____________________________________
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`CERTIFICATION OF RECORDS
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`Index No.: 20-46602
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`Dated: ___________________
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`I, ___________________________, am the duly authorized custodian or other qualified
`witness of the records of the Orleans County District Attorney’s Office and have the authority
`to make the certification.
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`To the best of my knowledge, after reasonable inquiry, the records or copies thereof are
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`accurate versions of the documents described in the subpoena duces tecum that are in the
`possession, custody, or control of the person receiving the subpoena.
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`To the best of my knowledge, the documents and/or records are genuine copies; kept in the
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`regular course of business; made within a reasonable time after the act; and are complete and
`current of all the documents described in the subpoena duces tecum.
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`Sworn to before me this ___
`day of ___________, 2022.
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`_____________________
`Notary Public
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`___________________________________
`Custodian of Records
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`2
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