of the “General Secretariat and Police Inspections” held there.104 In the course of those procedures, the FGN was unable to corroborate that the loss of the weapon found in P.J.P.D.’s possession had been duly reported. 95. On December 11, 2001, the FGN suspended the preliminary investigation because it had been unable to establish who was responsible for what had occurred. 105 96. On January 17, 2006, the 23rd Specialized Prosecutor’s Office of the National Human Rights and International Humanitarian Law Unit took up the case and ordered the taking of evidence. It requested information from the PGN on the disciplinary proceedings (supra paras. 80 to 89) and a copy of the documents in the file of the claim for reparation (infra para. 106), and efforts to locate P.J.P.D.106 97. On May 26, 2011, the 48th Specialized Prosecutor’s Office of the National Human Rights and International Humanitarian Law Unit, which had intervened in 2008, approved Candelaria Vergara’s request to take part as a civil party. 107 On September 13, 2011, it agreed to the civil party’s request to seek evidence by, among other things, requesting information from the Information System on Cadavers and Disappeared Persons and the Single Virtual Information Center (CUVI) on the exhumations of bodies that might be Mr. Movilla’s. It also ordered that samples be taken from his relatives, and that Messrs. H.J.C.R., Bohórquez and P.J.P.D. be located in order to take statements from them. 108 98. On June 8, 2012, the FGN asked the Intelligence Directorate of the National Police and the Military Intelligence Directorate, as a matter of urgency, to inform it if there was any record of a person identifying himself with the number 88 and using the alias “Milton,” between 1992 and 1994.109 On July 11, 2012, the Judicial Police reported that neither entity had replied.110 On August 4, 2012, the Military Intelligence Directorate reported that it had no such notes.111 99. Between March 2013 and February 2014, following requests from the civil party, 112 the FGN ordered the taking of certain evidence. The Ministry of National Defense was asked to send it “a copy of all reports, notes and, in general, any data” on Pedro Movilla, and to “physically locate” various “legal proceedings” brought against P.J.P.D. for different crimes.113 Moreover, on March 6 and April 16, 2013, both P.J.P.B. and retired General I.R.Q. rendered statements.114 Cf. FGN: Report on the visit made to Kennedy District town hall on June 13, 1997, and communication from the Head of Archives of the Secretariat of the Government of Bogotá of April 28, 1998 (evidence file, Annexes 77 and 78 to the Merits Report, folios 255 and 257, respectively). 105 cf. FGN, Order of the U.D.H. Specialized Prosecutor of December 11, 2001 (evidence file, Annex 49 to the Merits Report, folio 171). 106 Cf. FGN, the 23rd Specialized Prosecutor, Order of January 17, 2006 (evidence file, Annex 50 to the Merits Report, folios 173 and 174). 107 Cf. FGN, Order from the Head of the National Prosecutors Unit for Human Rights and International Humanitarian Law of August 8, 2008; communication from the assistant of UNDH-DIH Prosecutor II of September 8, 2008; and Order from the UDH’s 48th Specialized Prosecutor of May 26, 2011 (evidence file, Annex 17 to the pleadings and motions brief, folios 3831 to 3833, and 3830, and Annex 57 to the Merits Report, folios 188 to 190). 108 Cf. FGN, Order for the taking of evidence of September 13, 2011 (evidence file, Annex 58 to the Merits Report, folios 192 and 193). 109 Cf. FGN, Official letters to the Intelligence Directorate of the National Police and the Military Intelligence Directorate of June 8, 2012 (evidence file, Annexes 65 and 66 to the Merits Report, folios 221 and 223). 110 Cf. FGN, Judicial Police Report of July 11, 2012 (evidence file, Annex 73 to the Merits Report, folios 242 to 246). 111 Communication from the Military Intelligence Directorate of August 4, 2012 (evidence file, Annex 68 to the Merits Report, folio 227). 112 . Cf. CCAJAR, documents from February 2013 (no exact dates), June 4, 2013, and January 31, 2014 (evidence file, Annex 20 to the pleadings and motions brief, folios 4256, 4245 and 4311 to 4313). 113 FGN. Official letters of August 22, 2013, and February 13 and 14, 2014 (evidence file, Annex 20 to the pleadings and motions brief, folios 4258 and 4259 and 4314 to 4322). 114 FGN. Statements rendered by P.J.P.B. and I.R.Q. on March 6 and April 16, 2013 (evidence file, annexes 19 and 20 to the pleadings and motions brief, folios 4121 to 4123 and 4200 to 4205). 104 26

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