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  • In Re: The Petition For Expungement and Sealing of Records of Nicole RobinsonXP - Expungement document preview
  • In Re: The Petition For Expungement and Sealing of Records of Nicole RobinsonXP - Expungement document preview
  • In Re: The Petition For Expungement and Sealing of Records of Nicole RobinsonXP - Expungement document preview
  • In Re: The Petition For Expungement and Sealing of Records of Nicole RobinsonXP - Expungement document preview
  • In Re: The Petition For Expungement and Sealing of Records of Nicole RobinsonXP - Expungement document preview
  • In Re: The Petition For Expungement and Sealing of Records of Nicole RobinsonXP - Expungement document preview
  • In Re: The Petition For Expungement and Sealing of Records of Nicole RobinsonXP - Expungement document preview
  • In Re: The Petition For Expungement and Sealing of Records of Nicole RobinsonXP - Expungement document preview
						
                                

Preview

29D05-2403-XP-003430 Filed: 3/28/2024 2:23 PM Clerk Hamilton Superior Court 5 Hamilton County, Indiana STATE OF INDIANA ) IN THE HAMILTON SUPERIOR COURT NO. 5 )SS: COUNTY OF HAMILTON ) CAUSE NO.: 29D05-2403-XP-_______ IN THE MATTER OF THE ) PETITION FOR EXPUNGEMENT OF ) RECORDS OF ARREST AND ) NICOLE RENIA ROBINSON, ) Petitioner. ) DOB: 12/25/98 OLN: 5270-35-5946 VERIFIED PETITION FOR EXPUNGMEMENT OF MISDEMEANOR RECORDS PURSUANT TO INDIANA CODE 35-38-9-1 Petitioner, Nicole Renia Robinson, being duly sworn upon her oath in person and by counsel, hereby respectfully moves the Court to expunge her records which are eligible for relief pursuant to Indiana Code 35-38-9-1 and identified as Cause No. 29D06-2203-CM-001944 and captioned State of Indiana v. Nicole Renia Robinson. Petitioner states the following in support: 1. Petitioner’s full name is Nicole Renia Robinson. This was Petitioner’s full name at the time of arrest. 2. Petitioner resides at 1025 Woodridge Court in Carmel, IN 46032. 3. Petitioner affirms that she has no legal names or aliases by which she is or has been known other than Nicole Renia Robinson. Petitioner’s date of birth is December 25, 1998. Petitioner’s social security number is xxx-xx-9898. 4. Petitioner’s Operator’s License Number is 5270-35-5946 and her privileges are valid. 5. Petitioner’s addresses from the date of the arrest through the date of this petition are listed below beginning with the address on the date of the offense and following in order to her present address: 397 Huron Lane (Apt. C), Noblesville, IN 46062; 14816 Deerwood Drive Carmel, IN 46033; and 1025 Woodridge Court in Carmel, IN 46032. 6. Petitioner is not the subject of any criminal investigation. No charges are pending against Petitioner. 7. More than one (1) year has passed since the later of the date of the event and filing of the charging information. The required time has passed for Petitioner to seek relief pursuant to Ind. Code 35-38-9-1. 8. Petitioner was arrested on March 24, 2022, for Domestic Battery as a Class A Misdemeanor. She was arrested on that date by Officer Krystal Watters of the Noblesville Police Department. The Case No. was 2022-010421. 9. On March 24, 2022, Petitioner was charged with Domestic Battery as a Class A Misdemeanor. That was the only charge filed against Petitioner. 10. The case was filed in Hamilton Superior Court No. 6 as Cause No. 29D06-2203- CM-001944. 11. The charge was dismissed with prejudice on or about September 21, 2023. 12. Petitioner is not enrolled in a pretrial diversion program as of this filing. 13. Petitioner affirms under the penalties of perjury that she is eligible for expungement of records. WHEREFORE, Petitioner respectfully requests pursuant to Ind. Code 35-38-9-1 that any and all records respect Cause Number 29D06-2203-CM-001944 be expunged and permanently sealed including that: 2 A. No information concerning the arrest and/or charge be retained by the state central repository for criminal history information or in any other alphabetically arranged criminal history information system maintained by a local, regional, or statewide law enforcement agency, including the Indiana State Police and Noblesville Police Department. B. That the Noblesville Police Department and Hamilton County Sheriff’s Department, and any other agencies involved with the arrest and/or charging of Petitioner be ordered to seal and expunge said records in accordance with Ind. Code 35-38-9-1. C. That the Noblesville Police Department seal and/or expunge its records with regard to its Case No. 2022-010421. D. That the Hamilton County Jail, Hamilton County Probation Department, Hamilton County Sheriff’s Department, and any other law enforcement agencies who arrested, charged and/or incarcerated Petitioner be ordered to not release Petitioner’s records or any information in the records related to Petitioner’s charges and/or arrest without a court order, or as otherwise permitted by law. E. That the Central Repository for Criminal History Information maintained by the State Police Department seal her expunged records with respect to Cause No. 29D06-2203- CM-001944 and never disclose except as permitted by law. F. That Hamilton Superior Court No. 6, permanently seal and/or expunge all records related to State of Indiana v. Nicole Renia Robinson and identified as Cause No. 29D06-2203-CM-001944. G. That the court records be sealed and excluded from public access as provided for in Access to Court Records. 3 H. For all other relief just and proper. I affirm under the penalties for perjury that the foregoing representations are true. ______________________________ Nicole Renia Robinson Respectfully submitted, SARKOVICS LAW /s/ Rodney T. Sarkovics ____________________________ Rodney T. Sarkovics, #19547-49 Attorney for Petitioner CERTIFICATE OF SERVICE The undersigned hereby certifies that a copy of the foregoing has been served upon the Hamilton County Prosecutor’s, office via E-Service through the Indiana E-Filing System pursuant 28th day of to Rule 86(G) of the Indiana Rules of Trial Procedure, and/or via electronic mail this ____ March 2024. /s/ Rodney T. Sarkovics _____________________________________ Rodney T. Sarkovics, #19547-49 SARKOVICS LAW 11495 N. Pennsylvania Street, Suite 125 Carmel, IN 46032 317/669-9901 Rodney@Sarkovicslaw.com 4