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InfoTelesys Lawsuit: J. DAMAGES

As a direct and proximate result of acts by DEFENDANTS as alleged herein, Plaintiffs suffered damages including but not limited to those damages listed here under which have caused, and continue to cause, plaintiffs injuries.  Plaintiffs are informed and believe and thereon allege that these injuries will result in permanent disability to them.  As a result of these injuries, Plaintiffs have suffered general and specific damages in amounts not yet fully ascertained.  Said damages include the sum certain amounts of $66,016,803,250.00 and $3,001,000.00 from the prior lawsuits filed by PLAINTIFFS in this court.

Plaintiffs CLIVE FRANK BOUSTRED, RCB, WFB, and team members of corporate Plaintiffs, suffered great physical and emotional injuries all of which have caused, and continue to cause, plaintiff great mental, physical and nervous pain, suffering and alienation.  CLIVE FRANK BOUSTRED, RCB, WFB and team members of corporate Plaintiffs are informed and believe and thereon allege that these injuries will result in some permanent disability to them. 

As a further proximate result of the acts of DEFENDANTS, CLIVE FRANK BOUSTRED, InfoTelesys, Inc. and Get IT Real, Inc., Life Yacht, CopperCards, Santa Cruz Cats, Le Essence and Kite Yachts were prevented from attending to usual business and occupation and thereby lost earnings and revenue and in fact said corporations have been destroyed as a direct and proximate result of the acts of DEFENDANTS to damage in amounts not yet fully ascertained.  As a further proximate result of DEFENDANTS' actions, plaintiff's present and future earning capacity has been greatly impaired in amounts not yet ascertained.  As a further proximate result of DEFENDANTS' actions, plaintiff Life Yacht has lost the 90ft C1 Dock in the Santa Cruz Harbor and moneys invested to secure said C1 Dock which is a once in a lifetime acquisition, valued at not less than two million dollars with future earning not yet ascertained.

Plaintiffs are informed and believe and thereon allege that they will be deprived from attending to their usual business for a period in the future which cannot yet be ascertained, and will thereby sustain further loss of earning in amounts not yet ascertained.

As a further proximate result of DEFENDANTS' acts, plaintiffs have been damaged in that have been required to expend money and have been prevented from earning money or continuing to develop products and service and having been delayed in deployment of advanced products services and technology and have lost significant and major contracts and agreements with international and local enterprises and have lost the ability to obtain funding for projects and future projects and have lost extraordinary and significant competitive advantages and have lost domain names, patents and trademarks and have and will continue to incur costs and associated losses as in amounts not yet ascertained.

As a further proximate result of the acts of DEFENDANTS, plaintiffs were prevented from attending to their usual occupation and thereby lost earnings causing damage in amounts not yet ascertained.

As a further proximate result of DEFENDANTS' actions, plaintiff’s present and future earning capacity has been greatly impaired in amounts not yet ascertained.

As a further proximate result of the acts of DEFENDANTS, plaintiffs will continue to incur, business, legal, medical and related expenses in amounts not yet ascertained. 

Minor children RCB and WFB were and continue to be held captive by other DEFENDANTS after being violently seized by the government from their father Clive Boustred.  Defendant Twin Lakes Baptist Church, Inc. enjoined in the kidnap and holding hostage of RCB and WFB.  It is hard to imagine how a Church would take such outrageous and malicious steps. Plaintiffs do not know if the behavior of Twin Lakes Church is a consequence of the outrageous libel and slander Plaintiffs have been subject to as a consequence of the governments outrageous malicious false prosecution of Plaintiff’s, or if the members of the Church who are directly responsible for the malicious behavior of the Church are themselves intimately connected with the crime-ring and criminals in government who committed the crimes against Plaintiffs.  Whatever the truth, the fact that a Christian Church would attempt to eliminate an honest man’s 1st Amendment right on Halloween, is strange behavior to say the least.

The kidnap and holding hostage of RCB and WFB is willful and malicious and without legal right or probable cause and is intended to oppress and cause injury to Plaintiffs.  Plaintiffs are therefore entitled to an award of punitive damages against DEFENDANTS.

Sheriffs, District Attorneys & their assistants, Judges and the Attorney General and his deputies’ have been repeatedly formerly advised of these outrageous crimes committed against PLAINTIFFS and instead of prosecuting the criminals who have committed these crimes against PLAINTIFFS, these government officials rushed to defend the criminals committing these outrageous criminal acts against PLAINTIFFS and maliciously prosecuted PLAINTIFFS to cover up.  By failing to act these government officials and the State of California and United States are directly responsible for Damages caused to PLAINTIFFS.  Instead of prosecuting the real criminals, the government is defending them, this situation is outrageous.

DEFENDANTS' conduct was not only outrageous it was intentional and malicious and shocks the conscience and is grossly negligent, exhibiting a reckless disregard for Plaintiffs' rights and conspiring against Plaintiffs, causing Plaintiffs to suffer humiliation, mental anguish, financial burdens, excessive court hearings and the need to answer multiple false charges frivolous motions, false imprisonment, kidnap, stress and emotional and physical distress and Plaintiffs were injured financially and in mind and body in amounts not yet fully ascertained but no less than already listed herein.

On information and/or belief DEFENDANTS intentionally conspired against and maliciously prosecuted DEFENDANTS and kidnapped RCB and WFB so as to cause Defendant damages listed herein resulting in pecuniary and no pecuniary injury to plaintiff.  Said damages were incurred as a direct and proximate result of the Conspiracy and Malicious Prosecution of DEFENDANTS.

DEFENDANTS owed a duty to plaintiffs not to cause the harm as herein alleged.  DEFENDANTS breached said duty.  The acts of DEFENDANTS were willful, wanton and malicious and were intended to oppress and cause injury to Plaintiffs and justify the awarding of exemplary and punitive damages in amounts according to proof.

Additionally DEFENDANTS have displayed deliberate indifference to the rights of plaintiffs, and, based upon the principles set forth in Monell v. New York City Department of Social Services , 436 U.S. 658 (1978), are thereby liable for all injuries and damages sustained by plaintiff as set forth in this complaint

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