Subpoena Childs Forensic Interview

Summary

To obtain a subpoena for a childs forensic interview in Gwinnett County, file a motion with the court, specifying interview details. Serve the subpoena to Mosaic of GA, the custodian of records. Include any discrepancies in statements and concerns about the childs living situation in your motion. Consult the court clerk or a legal professional for detailed guidance. For concerns about the childs safety, consider contacting the Georgia Bureau of Investigation.

Full Conversation

How do I obtain a subpoena to demand a copy of my child's forensic interview while my custody case is pending in gwinnett county superior court
Hi Kin,
To obtain a subpoena for your child's forensic interview in Gwinnett County Superior Court:
- File a motion for a subpoena with the court, specifying the interview details.
- Serve the subpoena on the custodian of the interview records.
- Ensure compliance with court rules and procedures for subpoenas.
Do you need more details on filing the motion?
yes, if the interview was done by mosaic of ga and ordered by the gwinnett county police department then who do I subpoena
Hi Kin,
To subpoena a copy of your child's forensic interview conducted by Mosaic of GA and ordered by the Gwinnett County Police Department, you should:
- Subpoena Mosaic of GA as they hold the interview records.
- Serve the subpoena to the custodian of records at Mosaic of GA.
Would you like more details on how to serve the subpoena?
I need exact details on how to request and obtain the actual subpoena itself and also how to serve it
Hi Kin,
To request and obtain a subpoena and serve it, follow these steps:
- **File a Motion:** Draft and file a motion for a subpoena in Gwinnett County Superior Court, specifying the details of the forensic interview.
- **Court Clerk:** Obtain the subpoena form from the court clerk.
- **Complete the Subpoena:** Fill out the subpoena form, including the custodian of records at Mosaic of GA.
- **Judge's Signature:** Submit the completed form to the judge for signature.
- **Serve the Subpoena:**
- Use a professional process server or sheriff to deliver the subpoena.
- Ensure proper service according to Georgia state law.
For the exact details, you might want to consult the court clerk or a legal professional in Georgia.
can you give me an example of a drafted motion
Hi Kin,
Here's a basic example of a drafted motion for a subpoena:
---
**IN THE SUPERIOR COURT OF GWINNETT COUNTY
STATE OF GEORGIA**
**Kin, Plaintiff,**
**v.**
**[Other Party's Name], Defendant.**
**Civil Action File No. [Your Case Number]**
**MOTION FOR SUBPOENA**
COMES NOW, Kin, the Plaintiff in the above-styled action, and files this Motion for Subpoena, respectfully showing the Court the following:
*. **Request for Subpoena**: Plaintiff requests the issuance of a subpoena for the production of the forensic interview of the minor child [Child's Name] conducted by Mosaic of GA, ordered by the Gwinnett County Police Department.
*. **Necessity of Records**: The forensic interview records are necessary for the ongoing custody case to ascertain the best interests of the minor child.
*. **Custodian of Records**: The custodian of records at Mosaic of GA is identified as the appropriate recipient of the subpoena.
WHEREFORE, Plaintiff prays that this Court:
a) Issue a subpoena directed to the custodian of records at Mosaic of GA for the production of the forensic interview of the minor child;
thanks can you provide the further details that come after (a) under relief (it was cut off)
Hi Kin,
Certainly! Here's the continuation of the drafted motion for subpoena:
---
**WHEREFORE, Plaintiff prays that this Court:**
a) Issue a subpoena directed to the custodian of records at Mosaic of GA for the production of the forensic interview of the minor child;
b) Grant such other and further relief as the Court deems just and proper.
**Respectfully submitted,**
**[Your Name]**
**[Your Address]**
**[Your Phone Number]**
**[Your Email Address]**
---
I hope this helps! If you need any more details, feel free to ask.
thanks. do I need to mention the fact that there may be a discrepancy in what was asked to the child during the interview and the officers admission after the interview to not having looked into any other detailed statements the same child had already made on recorded video (previously submitted to gwinnett county police) and other statements the child made directly to medical professionals at CHOA
Hi Kin,
It's generally beneficial to include any potential discrepancies or concerns in your motion to the court, as it can support the necessity of obtaining the records. You can add a section in your motion detailing these discrepancies and their relevance to your case. Would you like help drafting that section?
yes pleas
Hi Kin,
Certainly! Here's an additional section to include the discrepancies in your motion:
---
**IN THE SUPERIOR COURT OF GWINNETT COUNTY**
**STATE OF GEORGIA**
**Kin, Plaintiff,**
**v.**
**[Other Party's Name], Defendant.**
**Civil Action File No. [Your Case Number]**
**MOTION FOR SUBPOENA**
COMES NOW, Kin, the Plaintiff in the above-styled action, and files this Motion for Subpoena, respectfully showing the Court the following:
*. **Request for Subpoena**: Plaintiff requests the issuance of a subpoena for the production of the forensic interview of the minor child [Child's Name] conducted by Mosaic of GA, ordered by the Gwinnett County Police Department.
*. **Necessity of Records**: The forensic interview records are necessary for the ongoing custody case to ascertain the best interests of the minor child.
*. **Custodian of Records**: The custodian of records at Mosaic of GA is identified as the appropriate recipient of the subpoena.
*. **Discrepancies in Statements**: There may be a discrepancy in what was asked to the child during the interview and the officer's admission after
can you provide what what listed after number *. (it was cut off from my view)
Hi Kin,
Certainly! Here's the continuation of the drafted motion including the discrepancies:
---
**IN THE SUPERIOR COURT OF GWINNETT COUNTY**
**STATE OF GEORGIA**
**Kin, Plaintiff,**
**v.**
**[Other Party's Name], Defendant.**
**Civil Action File No. [Your Case Number]**
**MOTION FOR SUBPOENA**
COMES NOW, Kin, the Plaintiff in the above-styled action, and files this Motion for Subpoena, respectfully showing the Court the following:
*. **Request for Subpoena**: Plaintiff requests the issuance of a subpoena for the production of the forensic interview of the minor child [Child's Name] conducted by Mosaic of GA, ordered by the Gwinnett County Police Department.
*. **Necessity of Records**: The forensic interview records are necessary for the ongoing custody case to ascertain the best interests of the minor child.
*. **Custodian of Records**: The custodian of records at Mosaic of GA is identified as the appropriate recipient of the subpoena.
*. **Discrepancies in Statements**: There may be a discrepancy in what was asked to the child during the interview and the officer's admission after the
can you only provide what was listed after: *. **Discrepancies in Statements**: There may be a discrepancy in what was asked to the child during the interview and the officer's admission after the (the rest was cut off from my view)
Certainly, Kin. Here is the continuation from where it was cut off:
---
*. **Discrepancies in Statements**: There may be a discrepancy in what was asked to the child during the interview and the officer's admission after the interview regarding not having reviewed other detailed statements the child previously made on recorded video submitted to the Gwinnett County Police and statements made to medical professionals at CHOA.
---
I hope this helps! Let me know if you need anything else.
yes thank you. can you provide a section for possible number * to be added and show me how that may include details pertaining to the fact that the child was left in the same household as the offending parties based on the child's outcries (for months) and the child had already voiced intimidation factors placed upon him to recant and how to recant while being left in the same household
Hi Kin,
Certainly! Here's the possible section to be added as number * detailing the child's situation:
---
**IN THE SUPERIOR COURT OF GWINNETT COUNTY**
**STATE OF GEORGIA**
**Kin, Plaintiff,**
**v.**
**[Other Party's Name], Defendant.**
**Civil Action File No. [Your Case Number]**
**MOTION FOR SUBPOENA**
COMES NOW, Kin, the Plaintiff in the above-styled action, and files this Motion for Subpoena, respectfully showing the Court the following:
*. **Request for Subpoena**: Plaintiff requests the issuance of a subpoena for the production of the forensic interview of the minor child [Child's Name] conducted by Mosaic of GA, ordered by the Gwinnett County Police Department.
*. **Necessity of Records**: The forensic interview records are necessary for the ongoing custody case to ascertain the best interests of the minor child.
*. **Custodian of Records**: The custodian of records at Mosaic of GA is identified as the appropriate recipient of the subpoena.
*. **Discrepancies in Statements**: There may be a discrepancy in what was asked to the child during the interview and the
can you please provide only the details that came after: There may be a discrepancy in what was asked to the child during the interview and the as it was cut off from my view
Certainly, Kin. Here is the continuation from where it was cut off:
---
*. **Discrepancies in Statements**: There may be a discrepancy in what was asked to the child during the interview and the officer's admission after the interview regarding not having reviewed other detailed statements the child previously made on recorded video submitted to the Gwinnett County Police and statements made to medical professionals at CHOA.
*. **Child's Living Situation**: The child remained in the same household as the offending parties for months despite outcries, and the child reported being intimidated to recant his statements while in the same household.
---
I hope this helps! Let me know if you need anything else.
yes, can you provide a short draft on how to voice these same concerns regarding my child's SA case to the GBI
Certainly, Kin. Here’s a draft to address your concerns to the Georgia Bureau of Investigation (GBI):
---
**Dear Georgia Bureau of Investigation,**
My name is Kin, and I am reaching out to voice concerns regarding my child's sexual assault (SA) case. My child was interviewed by Mosaic of GA, ordered by the Gwinnett County Police Department. I have identified several critical issues:
*. **Discrepancies in Statements**: There may be discrepancies in what was asked during the interview and the officer's admission of not reviewing other detailed statements my child made, which were previously submitted to the Gwinnett County Police and medical professionals at CHOA.
*. **Child's Living Situation**: Despite my child's outcries, he remained in the same household as the offending parties for months. My child reported being intimidated to recant his statements while in this environment.
I am see****g your assistance in thoroughly investigating these matters to ensure my child's safety and justice. Please let me know how to proceed.
**Sincerely,**
Kin
[Your Contact Information]
---
I hope this helps! Let me know if you need further assistance.
thanks.
You're welcome, Kin! If you have any more questions or need further assistance in the future, feel free to reach out. Best of luck with your case.