Categories
Events Notice

Notice Of Demonstration: Town Of Redvers

TO:
Town Of Redvers
25 Railway Ave
PO Box 249
Redvers, SK, S0C 2H0

FROM:
Travis Patron
Canadian Nationalist Party Inc.
PO Box 490,
11 Broadway Street
Redvers, SK, S0C 2H0

DATED: April 18th, 2020

NOTICE OF DEMONSTRATION

WHEN: 12:00 NOON, April 21st, 2020
WHERE: Redvers Cenotaph
WHY: Speak on the current circumstances in our country and their relation to religious scripture.

Town Of Redvers,

I am writing you today to inform you that our political constituency will be hosting a demonstration within your municipality in order to speak on the current circumstances in our country and their relation to religious scripture.

We are aware the Government Of Saskatchewan has recently declared a state of emergency, and under this pretense, is attempting to further encroach on our ability to gather in the public space. We stand in objection to what we see as an unlawful declaration from the Provincial Government and will make no concessions to limit the size of our demonstration or limit the ability of our members to travel throughout the province. This alarmist declaration of emergency is unprecedented and unnecessary and has a high probability of causing suppression of our economic conditions – especially in rural areas of the province.

During, and leading up to, the recent 43rd Federal Election, our officially-sanctioned political party was not permitted to host publicly and communicate our policies to Canadian voters. We believe this to be a most serious violation of our democratic, constitutional, and fundamental rights as citizens. Under these current circumstances it is essentially impossible to elect a representative from our constituency on the grounds that we are not permitted to host a public event in order to promote our policies and compete in the existing democratic system.

Our denial of a permit after we gained official status with Elections Canada and after the drop of the writ on September 11th, 2019 is only the most pronounced and fundamental example that Canada’s democratic institutions are illegitimate. Despite violating no hate speech legislation and enduring a ridiculous campaign to sabotage our registration efforts, our so-called “guaranteed” rights and freedoms remain unavailable to us.

Failure to respect our right to gather in the public space in order to exchange ideas will be interpreted as yet another state-sanctioned hostility towards us as a people, political constituency, and unique nationality.

Signed,

Travis Patron
Leader of the Canadian Nationalist Party
(306)700-2193

Categories
Notice Statement

Request For Disclosure

TO:
Crown Prosecutor Landry
Chief Judge J.A. Plemel,
Provincial Court Of Saskatchewan
1815 Smith Street
Regina, SK, S4P 2N5

FROM:
Travis Patron
Canadian Nationalist Party Inc.
PO Box 490,
11 Broadway Street
Redvers, SK, S0C 2H0

Date Served: March 31st, 2020

Request For Disclosure

Provincial Court Of Saskatchewan,

Please consider this a request for disclosure regarding the aforementioned file.

The Provincial Court Of Saskatchewan has, after almost 5 months, failed to provide full disclosure to the accused. This delay has occurred before the current state of emergency declared by the Provincial Government.

It is understood disclosure is currently being withheld from the accused. Disclosure has been requested multiple times both before and after retaining counsel:

Failure to provide the accused with full disclosure may violate their constitutional right to a fair trial and may bring the administration of justice into disrepute.

The accused retains the right to use this delay in serving disclosure as a potential defense at trial.

We kindly ask you to compile any and all disclosure relating to the charges currently before the court and serve them unto the accused without delay.

Signed,

Travis Patron
Canadian Nationalist Party Inc.
(306)700-2193

Categories
Notice

Notice Of Corporate Representation: City Of Saskatoon

TO:
City Solicitor’s Office
City Of Saskatoon
222 3rd Avenue North,
Saskatoon, SK, S7K 0J5

FROM:
Canadian Nationalist Party Inc.
Travis Patron
PO Box 490,
11 Broadway Street,
Redvers, SK, S0C 2H0

Date Served: March 23rd, 2020

NOTICE OF CORPORATE REPRESENTATION

RE:
Canadian Nationalist Party Inc. v City of Saskatoon
QBG 310 of 2020
Judicial Centre of Saskatoon
File No. 110.0445

ATTENTION: Alan Rankine

City Of Saskatoon,

In response to your letter dated February 25th, 2020, the Canadian Nationalist Party retains the right to be represented by Mr. Patron, citing recent decision in the 2014 case of Howden Bros. Construction Limited v Freshair Enterprises Limited, whereby the defendant was entitled to be represented by a “non-lawyer”.

The criteria for this decision in the case was laid out in [18] as follows:

    In light of these authorities, and the emphasis by The Queen’s Bench Rules on access to justice and the timely and cost effective resolution of disputes, I offer the following revised list of factors which may be relevant on a Rule 2 34(2) application:

  • (i) Whether the proposed representative has been duly authorized by the corporation to act as its representative in the action;
  • (ii) The nature of the connection, such as share ownership, an office or employment, between the proposed representative and the corporation;
  • (iii) The structure of the corporation in terms of shareholders, officers and directors, and whether it is closely held;
  • (iv) Whether the interests of shareholders, officers, directors, employees, creditors and other potential stakeholders are adequately protected by the granting of leave, taking account of the significance of the action and its potential impact on the corporation and those stakeholders;
  • (v) Whether the proposed representative is, in light of the nature of both the claim and the proposed representative, reasonably capable of comprehending the issues in the litigation, participating in the court’s processes, and conducting her or himself in a manner that will promote the timely and effective resolution of the claim;
  • (vi) The potential impact of refusing or granting the order on the financial and other interests of the other parties, whether due to the possibility that the proceedings will not be conducted in a manner that is proportionate in light of the nature of the claim, or otherwise;
  • (vii) Whether the corporation is financially capable of retaining counsel; and,
  • (viii) Any other relevant factor arising from the specific facts.

Canadian Nationalist Party Inc. observes that permitting Mr. Patron to act as counsel for the corporation is in alignment with at least criteria (i)(ii)(iii)(iv)(v)(vi).

We intend to have Mr. Patron continue acting as our corporate representation in this matter and are requesting from Court Of Queen’s Bench that this intention be honoured.

Signed,

Travis Patron
Canadian Nationalist Party Inc.
(306)700-2193