IN THE DISTRICT COURT FOR THE DISTRICT OF HAWAII
Case No.
Plaintiff: Clifford "RAY" Hackett
vs.
Defendants: 11th Judicial District court, Jacqueline Hackett, John Dean, Maureen O’donnell
JUDICIAL CRIMES INCLUDING MURDER
COMPLAINT: Comes now the plaintiff, Clifford “RAY” Hackett, pro se, and says:
PARTIES:
1. Plaintiff, Clifford “RAY” Hackett, is a US citizen hereinafter referred to as “Plaintiff".
2. Defendant Maureen O’Donnell is the manager of Hilo Social Security office at 111 puainako, Hilo, HI 96720 and may be served summons at 111 puainako, Hilo, HI 96720 fax 8085413536 and is hereinafter referred to as “Maureen.”
3. Defendant, Jacqueline Hackett, is an ILLEGAL IMMIGRANT, A FUGITIVE FROM JUSTICE, WITH A LIFE SENTENCE in her country, the philippines AND RESIDES at: Hilton Hotel Durango 501 Camino Del Rio, Durango, Colorado, 81301, and may be served summons at: Hilton Hotel Durango 501 Camino Del Rio, Durango, Colorado, 81301, or fax# 9702594398 and is hereinafter referred to as “Jaki.”
4. Defendant, 11th Judicial District court, is a New Mexico Government entity with primary offices located at 103 South Oliver Drive, Aztec, NM 87410. This defendant, at all times mentioned herein, acted through its agent Judge John Dean. District Court and Judge John Dean may be served summons at the Clerk of the Court 103 South Oliver Drive, Aztec, NM 87410, or fax 5053341940 and are both herein after referred to as “the court.”
FACTS PERTAINING TO THE PARTIES
5. Exhibit1 lists crimes by defendants in 2014
6. Exhibit 2 lists crimes defendants in 2015
E. PRELIMINARY STATEMENT
Defendants violated numerous national laws, statutes, ordinances and regulations, including but not limited to: due process, right not to be deprived of property under the 5th amendment (as incorporated to the states through the 14th amendment) and plaintiff’s right to be heard which was denied by the court. The overt acts of fraud and collusion in this matter which were engaged in by the defendants to deprive plaintiff of his assets include, but are not limited to: ordering plaintiff’s social security garnished without a proper basis for doing so, the court granting Jaki excessive child support without a proper basis for doing so, and Plaintiff should be reimbursed by the Lawyers’ Fund for Client Protection (LFCP) for the dishonest conduct of the judge in this matter.This case warrants claims involving tort of outrage, bad faith, outrageous government conduct and manifest injustice. The defendant’s acts and failures to act are criminal in nature as they are indicative of legalized stealing from the plaintiff, and depict “the dagger of an assassin” in their actions toward him. Accordingly, plaintiff is justified in alleging each of the following claims against the defendants.
F. CAUSES OF ACTION: Violations of Plaintiffs’ 5th Amendment Rights (as incorporated via 14th Amendment)
7. The conduct of the defendants constitutes a violation of plaintiff’s rights under the 5th Amendment to the United States Constitution, as incorporated to the States through the 14th Amendment.
8. The defendants owed plaintiff a duty under the 5th and 14th Amendments not to violate his rights under the United States Constitution as a citizen of the United States. The defendant’s fraud denied plaintiff due process of law and caused deaths of his children.
9. The conduct of the defendants to participate in a conspiracy to deprive plaintiff of his income and assets and his right to be heard was an obvious interference with attorney/client privilege.
10. Plaintiff relied in good faith that the judge would act legally and ethically, but judge knowingly killed his kids
11. The illegal and unethical conduct of the defendants constitutes denial of plaintiff’s due process rights under the 5th and 14th Amendments to the United States Constitution, and caused his kid’s deeaths.
12. The defendants breached plaintiff’s rights and willfully deprived him of his property and his right to be heard.
13. Due to defendant’s deprivation of plaintiff’s rights, plaintiff has suffered damages.
WHEREFORE, plaintiff respectfully requests judgments of the court against all of the defendants awarding to plaintiff (i) damages for each defendant; (ii) pre- and post-judgment interest; (iv) costs, including reasonable attorney fees for this action; and (v) any other relief deemed just and equitable by the court.
14. The conduct of the defendants to deprive plaintiff of his assets, including but not limited to: denying Plaintiff an attorney although plaintiff’s liberty was at risk, while granting his wife an attorney although her liberty was not at riskt, dragging Mr. Hackett’s divorce out indefinitely and convincing other defendants to “go along with the game,” constitutes civil conspiracy and/or collusion.
15. By participating in the plan to deprive Plaintiff of his assets, the defendants acted with the intent of engaging in illegal and unethical activities to deplete Plaintiff of his assets which included his life’s work and savings, having full knowledge that such acts were certain to result in injury to plaintiff.
16. The conduct of all of the defendants set forth herein constitutes civil conspiracy and collusion.
17. Due to defendants’ civil conspiracy and collusion, plaintiff has been damaged
WHEREFORE, plaintiff respectfully requests judgments of the court against all of the defendants awarding to plaintiff (i) damages from each defendant; (ii) pre- and post-judgment interest; (iii) costs, including reasonable attorney fees, for this action; (iv) injunctive relief enjoining all defendants from continuing the intentional infliction of emotional distress; and (v) any other relief deemed just and equitable by the court.
Respectfully submitted,
DEMAND FOR JURY TRIAL Plaintiff respectfully requests that the issues in this matter be heard by a jury.
DESIGNATION OF TRIAL: Plaintiff designates Hawaii as the location for the trial in this matter.
I HEREBY CERTIFY that a true copy of the foregoing was faxed to 8085413536 , 9702594398 , and 5053341940
Mahalo
SIGNATURE:
Clifford "RAY" Hackett www.rayis.me
I founded www.adapt.org in 1980 it now has over 50 million members.
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