IN THE CIRCUIT COURT, SEVENTH
JUDICIAL CIRCUIT, IN AND FOR
VOLUSIA COUNTY, FLORIDA
STATE OF FLORIDA,
v.
MATTHEW MOULTON CASE NO: 2025 102222 CFDL
JUDGE A. KATHLEEN McNEILLY
WRIT OF HABEAS CORPUS; MOTION TO DISMISS
COMES NOW the Defendant, Matthew Moulton, by and
through his undersigned Assistant Public Defender and moves
this Honorable Court to: Dismiss the indictment on the grounds that
there is no material disputed facts and the disputed facts do not
establish a prima facie case of guilt against the defendant.
To detail, the jury instructions in my case say that to prove the
crime the state must prove that the defendant intended the
thread to be a "true threat." An illegal threat.
The state has already proven otherwise.
Detective Daniel Smith based his probable cause for a warrant
on two statements taken out of greater context, but even taken
out of context the later statement clearly says, "legal death threat,"
asserting that my stated intent was to operate lawfully.
This lawful intent is repeated all throughout the investigation
and is never proven otherwise, only repeatedly affirmed.
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Any reasonable detective would be familiar with, "cause
of death" and any reasonable person knows reason can't
[ILLEGIBLE LINE DUE TO SCANNING ERROR BY DUMB VOLUSIA COUNTY CUCKS]
The previous statement, also taken out of greater context, in
which death is portrayed as a comedic riff on unavoidable
certainties; like sin and taxes, only offers an affect, death
itself, with no stated cause or action for it.
To be clear, death is a state of being, not a form of bodily
injury or an act. As no threat to kill or cause bodily injury
is given a reasonable person can only conclude;
"THE END IS NEAR!"
Likewise, any reasonable medical professional can tell you,
death requires a cause. You can't death someone to death.
Any reasonable detective would be familiar with, "cause
of death" and any reasonable person knows reason can't
exist without context, but judicial fraud certainly can!
WHEREFORE, Defendant prays this Honorable Court
grant this Motion.
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a copy of the foregoing has
been furnished by delivery to: Jeanne Stratis, Assistant
State Attorney, and to the court, on September 12, 2025
[sig]
Matthew Moulton
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