1 LYNNE ROMANO State Bar No. 123413
62-960 FRED WARING DR.
2 PALM DESERT, CA 92260
(760) 340-5878
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Attorney for Plaintiff Bonita Millard
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8 SUPERIOR COURT OF CALIFORNIA
9 COUNTY OF SAN BERNARDINO
10 JOSHUA TREE DISTRICT
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BONITA MILLARD, ) CASE NO. CMB11535
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13 Plaintiff, ) CLOSING BRIEF OF
) PLAINTIFF BONITA MILLARD
14 vs. )
) Trial Dates: June 9, 2004; June 23, 2004
15 CRAIG CANADA AND DOES 1 ) July 7, 2004
THROUGH 5 INCLUSIVE, ) Dept. M-3
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17 Defendants. )
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18 _________________________________) Hon. Bert L. Swift, Presiding
19 Defendant's goal in defending this action is to turn a simple unlawful detainer matter
20 into, as his counsel termed, "a case of first impression" concerning the possession, use, and right
21 to grow marijuana on private property. In fact, the case tried before this court is just a simple
22 unlawful detainer case in which a private individual seeks to recover possession of her property
23 for whatever purpose she chooses.
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25 Millard v. Canada is not about medical marijuana or "The Compassionte Use Act of
26 1996" nor should this Courts ruling take either into consideration. Rather the ruling should be in
27 favor of plaintiff Millard based on the evidence presented at trial.
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