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InfoTelesys Lawsuit: I. CLAIMS UPON WHICH RELIEF CAN BE GRANTED / CONSTITUTIONAL RIGHTS VIOLATED

Forty Third Claim For Relief    Violation of U.S. Const. 5th Amendment [Criminal proceedings, deprivation of life, liberty and happiness]

5th Amendment: No Person shall be held to answer for a capital, or otherwise infamous crime, unless on a presentment or indictment of a Grand Jury, except in cases arising in the land or naval forces, or in the Militia, when in actual service in time of War or public danger; nor shall any person be subject for the same offence to be twice put in jeopardy of life or limb; nor shall be compelled in any criminal case to be a witness against himself, nor be deprived of life, liberty, or property, without due process of law; nor shall private property be taken for public use, without just compensation.

PLAINTIFFS:

Clive Boustred, RCB and WFB.

DEFENDANTS: 

IRWIN JOSEPH, Irwin Joseph

JEREMY FOGEL, Jeremy Fogel,

JAMES WARE, James Ware

SAMUEL S. STEVENS, Samuel S. Stevens

MICHAEL E. BARTON, Michael E. Barton

ART DANNER, Art Danner (deceased)

TRILLA E. BAHRKE, Trilla E. Bahrke

PHYLLIS J. HAMILTON, Phyllis J. Hamilton

MARK TRACY, Mark Tracy (Former Sheriff)

MICHAEL MACDONALD, Michael Macdonald (Deputy Sheriff)

M POOL, M Pool (Deputy Sheriff)

HEMMINGWAY, Hemmingway (deceased)

AMY CHRISTY, Amy Christy

BROZOZOWSKI, Brozozowski

BOB LEE, Bob Lee (Santa Cruz District Attorney)

STEVE DROTTAR, Steve Drottar

TRILLA E. BAHRKE, Trilla E. Bahrke

CHRISTOPHER M. CATTRAN, Christopher M. Cattran

COUNTY OF SANTA CRUZ, County of Santa Cruz

STATE OF CALIFORNIA, State of California

UNITED STATES OF AMERICA, United States of America

Jon Doe’s, 1 to n.

VIOLATION OF CIVIL RIGHTS & ULTIMATE FACTS

Without any indictment of a Grand Jury DEFENDANTS Michael Macdonald, Amy Christy, M Pool, Mark Tracy, Hemmingway (Deceased), Brozozowski, Griffin, Samuel S. Stevens , Art Danner (Deceased), Michael E. Barton, Trilla E. Bahrke, Steven Drottar, Bob Lee, Bill Doyle, Christopher M. Cattran, County of Santa Cruz, County of Marin, County of Placer, County of Marin, Attorney General of The State of California, Attorney General of The United States of America, The State and Government and associated entities of The State of California, The State and Government and associated entities of The United States of America and Jon Doe’s 1 to n held Plaintiff Clive Frank Boustred to answer for multiple infamous crimes, without probable cause or any evidence and said DEFENDANTS deprived Plaintiffs of liberty, property, without due process of law.  And said DEFENDANTS arrested PETITIONER Clive Frank Boustred without probable cause and without any grand jury indictment.

On or about March 10, 2003 and repeatedly up till present time, in the above named Judicial District, the above listed DEFENDANTS repeatedly denied Clive Boustred, RCB and WFB their constitutional rights under the 5th Amendment to liberty and or property, said DEFENDANTS did so without due process of law under the color of law and did willfully and unlawfully and maliciously commit said crime.

On information and belief the above listed DEFENDANTS repeatedly on multiple occasions between 2002 and present denied Plaintiffs the most rudimentary due process rights violating Plaintiffs 5th Amendment rights in Criminal and civil proceedings and depriving Plaintiffs of liberty and happiness.

Further evidence relating to said violations of PETITIONERS Constitutional rights is incorporated in each of the other Claims for Relief’s “VIOLATION OF CIVIL RIGHTS & ULTIMATE FACTS” section and Exhibits and incorporated herein by reference.

DAMAGES

As a proximate consequence of the willful and malicious actions of DEFENDANTS, PLAINTIFFS have sustained extraordinary damage in a sum to be determined per proof, including severe and extreme emotional stress and anguish, parental alienation, lost time, lost business investments, lost business and prosperity, damaged reputation including both slander and libel, interference with the pursuit of happiness, loss of domestic tranquility, loss of general welfare, and the loss of basic liberties such as enjoying life with one’s own children!

Damages incurred by Plaintiffs as a direct or indirect consequence to the above mentioned and referenced actions by DEFENDANTS are also incorporated herein as listed in the “K DAMAGES” section of this Complaint.

AUTHORITIES

AUTHORITIES in section “K. COMMON AUTHORITIES” are incorporated herein by reference in addition to the following AUTHORITIES:

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