COURT of JUSTICE                         PAGE 1A                                           Additional Parties

                                                                                                         Form 1A Ont. Reg. No. 258/98

                                                                                                          (modified from internet)


                                                                                                                                    Claim No.

     Plaintiff No.  Roger Callow self-represented

                              1285 Cahill Drive #2001

                              Ottawa, Ontario  K1V 9A7

                              t. 613-521-1739  e-mail: rcallow770@gmail.com


     Defendant No. Ontario Ministry of Transport - Medical (Additional Party) to


     name of company

      Ontario Ministry of Transport - Medical

     Please use this Number 001111960 when you call or write this office.

     77 Wellesley St. W. Box 589

     Toronto, Ontario M7A 1N3

     Tel (416)235-1773 / 1-800-268-1481

     Fax (416)235-3400  SENT BY FAX  2 pages    (or  1-800-304-7889 ) 



A) OTTAWA POLICE CHIEF P. SLOLY (requested to co-ordinate this file with Toronto and Guelph Police)

B) COLLEGE of PHYSICIANS AND SURGEONS (wherein I call for the immediate suspension of Doctor Jahagirdar (Dr. J.) with a prohibition Order barring her from leaving the country until the above matter is heard in court. I have also asked them to use their influence in acquiring the above folder from the Transport Ministry-Medical as the latter ignore this Plaintiff's requests to that effect)



1) This is a request for disclosure; the legal extension of habeas corpus which is the bedrock of all law.

2) On November 14-2019, I eventually received my medical file from Dr. J. complete with pejorative comments and redactions of key evidence in this case. It is clear from information which she did include that she had breached doctor-patient  confidentiality.

3) She has always maintained, in the face of evidence to the contrary, that she has only used the term 'mental' to describe my condition in which she calls for the suspension of my driver's license. That way she can maintain the myth that the charge is re-testable according to the suspension Order from Transport Ontario which it isn't. All Doctors and Clinics (as well as lawyers) refuse to deal with any matter labeled 'psychiatric' under the Highways Act. It is the conjoining of these two terms which has deprived me of access to any Canadian institution in a most significant way.

4) In the event that Dr. J. is telling the whole truth, she should welcome the disclosure I am calling for as my claim is that Premier Doug Ford gave tacit approval to a legal action which promises to change the operation of democratic countries of the world in a most significant manner and, as such, I assert that he must be removed from all politics with the courts nipping this monster in the bud. For me, I am in retirement and can get around using bus passes, cycling, and walking, which is not an option to most people who require a car to commute. People I speak to are angry and afraid.

5) Telephone conversations between Dr. J. and The Transport Ministry exist. It is the latter's disclosure on this level which the court requires to provide justice in this most fundamental of judicial challenges. (even lawyers are out of business if this style of scam is permitted.)

6) Without delay, the Transport Ministry-Medical - similar to Dr. J. - must provide this Plaintiff immediately with their written and oral version of events.


Roger Callow  Plaintiff  19-SC-155235  November 17-2019

cc Towngate Family Medicine.


I, Roger Callow, plaintiff in the above noted legal case, assert that the material herein is accurate to the best of my knowledge. Dated this day of 17th of


November 17-2019. (signed) ________________(Roger Callow)