OCCK

Attached are the following copies of the Orders of Suppressions referred to in the previous chapters.

1. Exhibit B: A “true copy” of an Order Suppressing Motion to Clarifying Orders of Suppression of Search Warrant and Affidavit dated April 29, 2011 from the 48th District Court denying everyone including me access to that Court’s file on the October 28, 2008 Search Warrant for the former residence of Christopher Busch which was delivered to Judge Coleen O’Brien in my FOIA case against the Michigan State Police.

2. Exhibit C: A “true copy” of an Order Clarifying Orders of Suppression of Search Warrant and Affidavit dated April 29, 2011 from the 48th District Court denying everyone including me access to that Court’s file on the October 28, 2008 Search Warrant for the former residence of Christopher Busch which was delivered by the Oakland County Prosecutor to Judge Wendy Potts in my FOIA lawsuit against the Oakland County Prosecutor.

3. Exhibit D: The 48th District Court copy of this Order of Suppression which was delivered to me by the 48th District Court on April 1, 2013, more than two years after the delivery of Exhibits B & C.

IT WAS NOT UNTIL AFTER APRIL 1, 2013 THAT I NOTICED THAT “TRUE COPY” EXHIBITS B & C WERE BOTH DATED APRIL 29, 2011 BUT WERE NOT IDENTICAL. FURTHERMORE, EXHIBITS B & C ARE DATED AND ARE NOT TRUE COPIES OF THE UNDATED COPY IN THE COURT 48th DISTRICT COURT FILE (EXHIBIT D).

In my two lawsuits against the Oakland County Prosecutor, I was forbidden any discovery and both these cases were closed prior to April 1, 2013. Perhaps somebody from the media can check with the 48th District Court for an explanation of these inconsistent documents.

March 8, 2016

Exhibit B: A "true copy" of an Order Suppressing Motion to Clarifying Orders of the Suppression of Search Warrant and Affidavit dated April 29, 2011 from the 48th District Court...
Exhibit B: A “true copy” of an Order Suppressing Motion to Clarifying Orders of the Suppression of Search Warrant and Affidavit dated April 29, 2011 from the 48th District Court…
Exhibit B: A "true copy" of an Order Clarifying Orders of  Suppression of Search Warrant and Affidavit dated April 29, 2011 from the 48th District Court...
Exhibit C: A “true copy” of an Order Clarifying Orders of Suppression of Search Warrant and Affidavit dated April 29, 2011 from the 48th District Court…
The 48th District Court copy of this Order of Suppression which was delivered to me by the 48th District Court on April 1, 2013...
The 48th District Court copy of this Order of Suppression which was delivered to me by the 48th District Court on April 1, 2013
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OCCK

Attached as Exhibit A is the Search Warrant Affidavit dated October 28, 2008 prepared by the Oakland County Prosecutor and signed by the Michigan State Police. The 48th District Court gave me this Affidavit on April 1, 2013 after final orders had been entered in my two FOIA cases.

This eight page single-spaced Affidavit properly summarizes the 3,411 pages I received from the Michigan State Police regarding Christopher Busch and his companions, Gregory Greene and Vince Gunnels. In my judgment, the Affidavit contains no language which would exonerate these individuals as suspects in the murders of the four children.

In the following chapters, I will discuss the actions taken by the Oakland County Prosecutor, and perhaps other public officials, to deny me access to the Affidavit. After the reader finishes the following chapters, I will appreciate your comments on whether my conclusions are valid or incorrect.

Search Warrant Affidavit page 1

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Search Warrant Affidavit page 8

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OCCK

As mentioned in Chapter 3, the King family always thought it was unlikely that a Blue Gremlin was involved in the 1977 abduction of Tim. The information I received from the Michigan State Police on December 15, 2010 and subsequent information described in Chapters 4, 5 and 6 universally support the original King family conclusion.

When you can’t sleep during the night and no one will talk to you, conjecture is the only basis for your conclusions. Chasing the Blue Gremlin lead probably led to a lot of wasted time. There were a lot more Pontiac LeMans on the road than Blue Gremlins in 1977; would this extra follow up be a burden? Did one or more of the leading suspects die, perhaps by murder or suicide, and therefore could not be identified or charged? Why didn’t Oakland County take some action when retired Detective Jack Kalbfleisch contacted officials this century? If you can’t sleep tonight, can you think of any sensible reasons for silence?

Law enforcement not only owes the families of the four victims an explanation for this serious oversight, but also the media and the public. They are entitled to this additional automobile information that could help in solving the most heinous unsolved crime in the State of Michigan.

As I told you in Chapter 2, the two major concerns of the OCCK investigation, which came to my attention after December 15, 2010, were the incorrect automobile information and the attempts by the Oakland County Prosecutor to deny me access to the October 28, 2008 Search Warrant Affidavit for the former Busch residence. I will discuss the second major reason in the following chapters.

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