EX PARTE EMERGENCY MOTION – Invitation to edit

Ray Hackett has invited you to edit the following document:

document-4.png
EX PARTE EMERGENCY MOTION

Sender's profile photoCa$$tro Guam

Open in Docs

This email grants access to this item without logging in. Only forward it to people you trust.

Google Docs: Create and edit documents online.
Google Inc. 1600 Amphitheatre Parkway, Mountain View, CA 94043, USA
You have received this email because someone shared a document with you from Google Docs.
Logo for Google Docs

Noses are 75% opiates overdoses not notice

Health+
25% of all overdoses are from heroin
By Nadia Kounang, CNN

Updated 0502 GMT (1302 HKT) February 24, 2017

Photos: Opioids: Addictive painkillers
Show Caption
6 of 11

Photos: Opioids: Addictive painkillers
Show Caption
7 of 11

Photos: Opioids: Addictive painkillers
Show Caption
8 of 11

Photos: Opioids: Addictive painkillers
Show Caption
9 of 11

Photos: Opioids: Addictive painkillers
Show Caption
10 of 11

Photos: Opioids: Addictive painkillers
Show Caption
11 of 11

Photos: Opioids: Addictive painkillers
Show Caption
1 of 11

Photos: Opioids: Addictive painkillers
Show Caption
2 of 11

Photos: Opioids: Addictive painkillers
Show Caption
3 of 11

Photos: Opioids: Addictive painkillers
Show Caption
4 of 11

Photos: Opioids: Addictive painkillers
Show Caption
5 of 11

Photos: Opioids: Addictive painkillers
Show Caption
6 of 11

Photos: Opioids: Addictive painkillers
Show Caption
7 of 11

Photos: Opioids: Addictive painkillers
Show Caption
8 of 11

Photos: Opioids: Addictive painkillers
Show Caption
9 of 11

Photos: Opioids: Addictive painkillers
Show Caption
10 of 11

Photos: Opioids: Addictive painkillers
Show Caption
11 of 11

Photos: Opioids: Addictive painkillers
Show Caption
1 of 11

Photos: Opioids: Addictive painkillers
Show Caption
2 of 11

Photos: Opioids: Addictive painkillers
Show Caption
3 of 11

Photos: Opioids: Addictive painkillers
Show Caption
4 of 11

Photos: Opioids: Addictive painkillers
Show Caption
5 of 11

Photos: Opioids: Addictive painkillers
Show Caption
6 of 11
Story highlights
1 in 4 overdoses involve heroin
The rate of heroin involved overdoses triple from 1999 to 2015
(CNN)America’s opioid epidemic continues: The latest numbers from the Centers of Disease Control and Prevention, released Friday, show that one in four drug overdoses in 2015 was related to heroin. In 1999, just 6% of all overdoses were related to the drug.

When looking at overdoses overall, opioid-related deaths represented the majority. In 2015, overdoses involving opioids represented 73% of all overdose deaths, a significant jump from 57% in 2010. Opioids include heroin as well as drugs with a similar chemical structure, such as oxycodone and illicit synthetics like fentanyl.


China’s fentanyl ban: ‘game changer’ for opioid epidemic
Dr. Holly Hedegaard of the National Center for Health Statistics, who co-authored the study, also noted that this was the first time the number of overdose deaths in the United States exceeded 50,000. In 2010, there were 38,329 overdose-related deaths, and by 2015, that number had climbed to 52,404. By comparison, in 2015, there were 36,252 total firearm-related deaths across the country.
As with heroin, there was also a significant increase in deaths involving synthetic opioids such as fentanyl, the drug that was blamed for pop star Prince’s death. In 2010, these types of drugs were involved in just 8% of all overdose deaths, and by 2015, they were involved in 18% of all overdose deaths.
While there were increases in heroin and synthetic drug-related deaths, there was a drop in overdose deaths involving natural and semisynthetic opioid analgesics, including prescription drugs like oxycodone and hydrocodone. Although these drugs were involved in 29% of drug overdose deaths in 2010, they represented 24% of all drug overdose deaths in 2015.
Read More

Paid Content

Vikings: Free Strategy MMO Game that will get you addicted!
Google Play Store

The Most Addictive Game Of The Year! Already 14 Million Players!
Google Play Store

10 Most Tax-Friendly States for Retirement
Kiplinger

10 Least Tax-Friendly States in the U.S.
Kiplinger

Want To Learn A Language In 2017? Try This New Method!
Babbel

How this app gets you speaking a new language in 3 weeks!
Babbel
More from CNN
Father and son collide in head-on crash in Alabama
Poll: Trump approval rating at new low
Ivanka Trump and daughter go to the Supreme Court
Testosterone therapy’s benefits and risks
Recommended by


A tearful reunion for injured toddler, family

64-year-old woman gives birth to twins

NASA launched a superbug into space

Judge orders no more pregnancies for New York mother Judge orders mother…

London, United Kingdom  5°

Search CNN…

Regions
U.S. Politics



Sport
Travel

Health
Features
Video
More…
International Edition
© 2017 Cable News Network. Turner Broadcasting System, Inc. All Rights Reserved.
CNN Sans ™ & © 2016 Cable News Network.
Terms of UsePrivacy PolicyAdChoicesAdvertise with usAbout usNewslettersWork for usHelpTranscriptsLicense FootageCNN Newsource

Killer of Kim Jong Nam Doan

Fox News
World
Expand/Collapse Search

Enter your search terms here…
Home

Video

Politics

U.S.

Opinion

Business

Entertainment

Tech

Science

Health

Travel

Lifestyle

World

On Air

NORTH KOREA
Accused killer of Kim Jong Un’s half-brother went from singer to slayer, officials say

Published February 23, 2017
FoxNews.com
Facebook

Twitter

livefyre

Email

A Facebook page belonging to Doan Thi Huong, who is alleged to be part of the team that killed Kim Jong Nam. (AP)
Malaysian authorities probing the assassination of North Korean dictator Kim Jong Un’s half-brother are now trying to figure out how one of the prime suspects went from 28-year-old Vietnamese beauty and singing contestant to alleged cold-blooded killer in a matter of months.


Before she was accused of murder, Doan Thi Huong was a budding pop singer who appeared on a Vietnamese talent show and cultivated a playful social media presence.

“Can I sing you a song tonight?” Doan wrote in a March 24 Facebook post viewed by The Sydney Morning Herald. “Reply the fastest and put your phone number in the comment. I will call and sing for you.”


Doan appeared on Vietnamese Idol in June 2016 and was dismissed in the first round. Eight months later she is believed to be the woman wearing a white shirt with “LOL” printed on it seen in surveillance footage from the airport where Kim Jong Nam was murdered Feb. 13. Authorities believe Doan and a 25-year-old Indonesian woman – Siti Aisyah – ambushed Kim Jong Nam and rubbed a deadly substance on him before fleeing.

Kim Jong Nam sought help but soon died. Doan and Aisyah are in police custody, as are several men who officials say were connected to the plot. Authorities still do not know the exact substance used in the attack.

Doan’s father told Reuters he is being kept in the dark about his daughter.


“[Government officials] only say they will support Huong as she is Vietnamese, but did not tell me if she is really a suspect,” Doan Van Thanh said. “Even though I am her father I cannot control things that happened when she is out there. I cannot know.”

South Korean officials suspect North Korea was behind the plot to kill Kim Jong Nam, and investigators looking to link the reclusive country to Doan were digging into a trip Doan took to the South Korean vacation destination of Jeju Island in November, Reuters reported.

Doan’s account was under the pseudonym “Ruby Ruby,” and 27 of her 65 friends had Korean names, according to Reuters. She posted a status in Korean on March 23 – “I love you, I miss you.” The words Doan used, however, showed she was not familiar with the language, Reuters reported.

Her last social media post came just two days before the airport attack.

“I want to sleep more but by your side,” Doan wrote on Facebook next to a picture of her wrapped in white with her eyes closed.


Her next picture was a mugshot issued by the Royal Malaysia Police.

Sponsored Stories
Ads by

10 Things That Will Soon Disappear Forever
Kiplinger

10 Most Tax-Friendly States for Retirement
Kiplinger

How this app gets you speaking a new language in 3 weeks!
Babbel

App Download – The Most Addictive Game Of The Year!
Google Play Store

This New Language Learning Method Works!
Babbel
Sign in
3343

Post comment as…
NewestOldestHot Threads
6New CommentsRefresh
Show More Comments
Powered by Livefyre

 Megyn Kelly Makes a Surprise Reveal About Her Marriage
Aol.com
 North Korea Is Turning Against Kim Jong Un
Nypost.com
 The Real Reason Dogs Tilt Their Heads
Grunge.com
 Teen Secretly Recorded Someone Before Being Killed
Nypost.com
 Details Emerge on Melania’s Discontent as First Lady
Nypost.com
 Rex Tillerson Continues to Clean House at the State Department
Nypost.com
 Yes, Hillary Clinton Did Break the Law
Nypost.com
 Teens Accused of Attempted Murder of Teen Girl
Nypost.com
 Dad Who Lost 3 Daughters in 2011 House Fire Dies at 51
Aol.com
 Tourist Shatters Glass Walkway 3,000ft Above Ground
Thrillist.com
Site Index
Fox NewsBack to Top
This material may not be published, broadcast, rewritten, or redistributed. ©2017 FOX News Network, LLC. All rights reserved. All market data delayed 20 minutes. New Privacy – New Terms of Use (What’s New) – FAQ

21 hours to foreign relations, 13 hours to tweeting and six hours to intelligence briefings


Accessibility links
Skip to contentAccessibility Help
Sign in
BBC navigation
News
Sport
More
Search
News navigation Sections
US & Canada
Donald Trump’s golf hobby under scrutiny with Clinton tweet
22 February 2017
From the section US & Canada
Share
Image copyrightREUTERS
Image caption
President Trump (pictured here with Japanese Prime Minister Shinzo Abe on the left) has made visits to his Florida golf courses a weekend habit during his first month in office
A Hillary Clinton retweet has drawn attention to President Donald Trump’s golf outings, which critics are hoping to turn into a political handicap.
The former Democratic White House candidate shared a graph suggesting her former rival spent 25 hours on the links during his first month in office.
Mr Trump made his sixth trip to the golf course on Sunday, joined by professional golfer Rory McIlroy.
The Republican was a frequent critic of Barack Obama’s fairway excursions.
President Trump: Seven ways the world could change
How much has the president achieved so far?
Trump’s America: Are things as bad as he says?
According to an analysis of Washington Post pool reports that was retweeted by Mrs Clinton, the president has dedicated 21 hours to foreign relations, 13 hours to tweeting and six hours to intelligence briefings in his first weeks.
Image copyrightGETTY IMAGES
Clinton’s barbs sharpen – Analysis by Anthony Zurcher, BBC News
What do you do when your life’s goal, a dream that was nearly realised, slips away in a flash? That’s the question Hillary Clinton has faced since Donald Trump smashed her presidential hopes last November.
In the ensuing days, the former secretary of state has taken long walks in New York woods with her husband, Bill. She’s given a few speeches and caught some shows on Broadway, where she’s always warmly received. And she’s tweeted.
Haltingly, at first. A few Thanksgiving messages here, a get-well note to George HW Bush there. She stood firmly on uncontroversial ground.
Now, however, her voice is sharpening. She celebrates the anti-Trump protests that have swept across the country. She’s poked fun at the president and taken more pointed shots at his policies and positions. As the president has stumbled, she’s tiptoeing closer and closer to the land of "I told you so".
What’s next for a woman in her life’s third or fourth act? Rumours of a run for New York swirled then receded. When the presidential prize was so close, will anything else bring satisfaction?
Given that the Clintons have been in the national spotlight for decades, a quiet exit seems increasingly unlikely.
Mr Trump joined Rory McIlroy, one of the world’s highest ranked golfers, at Trump International Golf Club on Sunday.
The Irishman later told a golf blog he had played a full 18 holes with the president, as well as the chief executive of Clear Sports and former New York Yankee Paul O’Neill.
But McIlroy’s account contradicted White House spokeswoman Sarah Huckabee Sanders.
She said Mr Trump had only "played a couple of holes" on Saturday, as well as Sunday.
Image copyrightTWITTER
When pressed about McIlroy’s comments on Monday, she said Mr Trump had "intended to play a few holes and decided to play longer".
The White House has otherwise declined to say who plays with Mr Trump, drawing backlash from US media over how much time he spends on the green.
But the president’s golf hobby also recalls his repeated criticism of President Obama.
Mr Trump regularly accused Mr Obama of spending too much time golfing before and throughout his presidential campaign.
Image copyright@CLEARSPORTSLLC
Image caption
President Trump (2nd left) with Rory McIlroy (2nd right) on Sunday
"Can you believe that, with all the problems and difficulties facing the US, President Obama spent the day playing golf. Worse than Carter," he tweeted in October 2014.
Ten days later, he tweeted: "President Obama has a major meeting on the NYC Ebola outbreak, with people flying in from all over the country, but decided to play golf!"
Mr Trump also said he would be too busy to swing at a tee if elected.
"I’m going to be working for you. I’m not going to have time to go play golf," he said last August.
But he later softened his tone toward the game, which he said could be used as a tool of diplomacy.
Image copyrightGETTY IMAGES
Image caption
President Barack Obama (R) lines up a putt as British Prime Minister David Cameron (L) looks on near Watford in Hertfordshire, England, in April 2016
"I don’t think you should play very much," he told the Golf Channel in July.
"But if you’re going to play, you should use it to your advantage, and the country’s advantage."
Earlier this month, the president hosted Japanese Prime Minister Shinzo Abe and played a full round with the foreign leader as well as professional golfer Ernie Els.
However, his foursome on Sunday did not include any political types.
Former Presidents George W Bush and his father, George HW Bush, were also criticised for their golf outings, at the outsets of the first and second Iraq wars.
Related Topics
Donald Trump
Share this story About sharing
Email
Facebook
Messenger
Twitter
Pinterest
WhatsApp
LinkedIn
Trump takes office

Are things as bad as Trump says?
9 February 2017
How much has Trump achieved so far?
17 February 2017
Memes mock ‘Tiny Trump’ online
18 February 2017
Where Trump stands on key issues
8 February 2017
US & Canada

Dakota pipeline protesters leave site
23 February 2017
From the section US & Canada
Full article Dakota pipeline protesters leave site

Mexico rejects new US border policy
23 February 2017
From the section Latin America & Caribbean
Full article Mexico rejects new US border policy

Melania Trump changes Mail lawsuit
23 February 2017
From the section US & Canada
Full article Melania Trump changes Mail lawsuit

More Videos from the BBC

Nepal transgender model dazzles India

Author Helen Bailey murdered by fiance Ian Stewart

Why is UAE building a military base in Somaliland?

Peer ‘shocked’ by airport footage of woman’s treatment

Gay couple homophobic attack on Reading to London…

Trump was challenged by NBC on his false election boast
Recommended by Outbrain

Elsewhere on BBC

BBC News
Ohio policeman helps girl, 10, with maths homework

BBC News
Piers Morgan quits RTS awards after criticism

BBC News
‘Least racist person’ Trump stirs row with reply to black reporter
Recommended by Outbrain

You Might Also Like

BBC Travel
The traveller trying to change the world

BBC Culture
The 20-year-old unsolved murder of a child pageant queen

BBC Culture
The strange photographs used to ‘prove’ conspiracy theories
Top Stories
Iraqi forces storm Mosul airport
Trump revokes transgender toilet rules
Mexico rejects new US border policy
Features


The spy next door
How I lived the American dream – with help from the KGB


Factory of fake
Where licence plates and cereal boxes used in top films are made

The six-hour commute
A young mother describes her journey into Beijing and back


Fear factor
How Jewish parents explain school bomb threats
 VIDEO
Giving sight
How smartphones became ‘eyes’ for blind people


Dark marketplace
A tour of the cybercrime underground

A man’s world?
Three women reveal what it’s like working behind the camera


Larger than life
The Indian politician with a Bond villain reputation

Amazon murder
The tribe that killed my missionary father
Most Popular popular
Read selected
Watched
Most read
1
Mexico rejects new US border policy
2
Clinton takes swing at golf-loving Trump
3
Iraqi forces storm Mosul airport
4
N Korea condemns Kim death investigation
5
For a longer life ‘eat 10-a-day’
6
Melania Trump changes Mail lawsuit
7
Dutch populist in security scare
8
Mexican deported from US kills himself
9
Plane flies along giant Antarctic crack
10
Life expectancy to break 90 barrier

From Around the Web

23 Tax Deductions You’re Probably Overlooking
Kiplinger

7 Simple Exercises That Will Transform Your Body in Just 4 Weeks
World Business

The ABCs of Nails
Nailstyle

Sustainability Symposium 2017: Ready for Anything
Greenbuilder

As an NFL Alumnus, I Say: Let Their Lights Shine!
InsideSources

10 Most Tax-Friendly States for Retirement
Kiplinger
Promoted content by Outbrain
Ads by Google
Best Expat Interest Rates
£50k-£1m Savings? Free Review To Get You The Best Savings Rates!
expatsavingsreview.com
Best Selling Golf Aid
#itsALLaboutRHYTHM! Fix your rhythm & tempo the easy way
www.swingclickgolf.com
Your 2017 Horoscope
Discover all your Life for 2017. Get Your Free Personalized Reading.
the-astrology.com
News navigationSections
BBC News Services
On your mobile
On your connected tv
Get news alerts
Contact BBC News
Explore the BBC

News
Sport
Weather
Shop
Earth
Travel
Capital
Culture
Autos
Future
TV
Radio
CBBC
CBeebies
Food
iWonder
Bitesize
Music
Arts
Make It Digital
Taster
Nature
Local
Terms of Use
About the BBC
Privacy Policy
Cookies
Accessibility Help
Parental Guidance
Contact the BBC
Advertise with us
Ad choices
Copyright © 2017 BBC. The BBC is not responsible for the content of external sites. Read about our approach to external linking.

See how many pages of laissez lawsuit

Clifford "RAY" Hackett

1919 E Highway 54

Iola, KS 66749

Telephone: (620) 365-3969

IN THE UNITED STATES DISTRICT COURT

FOR THE DISTRICT OF KANSAS

Clifford “RAY” Hackett

Plantiff,

vs.

Case No.

DISTRICT COURT OF San Juan COUNTY New Mexico 11th JUDICIAL DISTRICT , Jacqueline . Hackett , John A. dean, Gina Reyes, SPECIAL MASTER

C. DAVID NEWBERY.

Defendants.

A. COMPLAINT

COMES NOW the plaintiff, Clifford “RAY” Hackett, pro se, and files this complaint against the defendants as follows:

B. PARTIES

1. Plaintiff, Clifford “RAY” Hackett, is an individual representing himself pro se with residence located at homeless shleters when (seldom) available. Plaintiff, Clifford “RAY” Hackett, is hereinafter referred to as “Plaintiff,” “Mr. Hackett,” or “ Clifford “RAY” Hackett,”

2. Defendant, District Court of san Juan County, new Mexico, 11th Judicial District, 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 agents: Judge John A. Dean, court administrator***r, Staff attorney***, and court employees. District Court of San Juan County, New Mexico, 11th Judicial District, may be served summons on the Clerk of the District Court, San Juan County, Jacqueline Hackett, at her primary place of business Hilton Hotel Durango 501 Camino Del Rio, Durango, Colorado, 813019. District Court of San Juan County, New Mexico 11th Judicial District, is herein after referred to as “Defendant,” “District Court of San Juan County,” “San Juan County District Court” or “the court.”

3. Defendant, Jacqueline Hackett is the estranged spouse of the plaintiff, Clifford “RAY” Hackett, with primary place of residence at:DoubleTree by Hilton Hotel Durango 501 Camino Del Rio, Durango, Colorado, 81301. Defendant, Jacqueline Hackett, may be served summons at her primary place of residence: DoubleTree by Hilton Hotel Durango 501 Camino Del Rio, Durango, Colorado, 81301. Defendant, Jacqueline Hackett is herein after referred to as “Jacqueline Hackett” or “Mrs. Hackett.”

4. Defendant, Zane Swank is an attorney with primary offices located at: D Zane Swank LLC in Farmington, NM. 4801 N Butler Ave Ste 6101. (505) 564-9263. Defendant,Zane Swank may be served summons at his primary place of businessat D Zane Swank LLC in Farmington, NM. 4801 N Butler Ave Ste 6101. (505) 564-9263 and is herein after referred to as: “Attorney Swank”.

5. Defendant, *** is an attorney with primary offices located at: *** durango, Co 81301. Defendant, ***, may be served summons at primary place of business: *** Durango, Co, 81321. Defendant, Larry A. Prauser is herein after referred to as: “Attorney ***.”

6. Defendant, *** , is an attorney with primary offices located at:***, Cortez, co 81321. Defendant, ***, may be served summons at his primary place of business: ***, Cortez, Co Defendant, ***, is herein after referred to as: “Attorney***”.

FACTS PERTAINING TO THE PARTIES

7. Plaintiff, Clifford “RAY” Hackett, is a United States Citizen and resides in Homeless shelters. Plaintiff, Clifford “RAY” Hackett, is the estranged spouse of defendant, Jacqueline Hackett.

8. Clifford “RAY” Hackett, a blind and deaf man, is retired.

9. Clifford and Jacqueline Hackett are the parents of four children: Hazel, Faye, Norman, and killed by abortion. They were married on may 2, 2002.

10. Jacqueline Hackett has kept all of the books and records.

11. Jacqueline Hackettfiled for divorce from Clifford "RAY" Hackett in the District Court of San Juan County, New Mexico , in 2010.

12. Jacqueline Hackett filed for divorce from Clifford "RAY" Hackettin the District Court of San Juan County, New Mexico, in May, 2010 (Case No. 01 DM 59). Clifford "RAY" Hackett was not served with divorce papers until January, 2010 by a US marshal breaking into his apartment.

13. Zane Swank represented Mrs. Hackett in the filing of her divorce, but withdrew when not paid.

14. Attorney letigra is a second lawyer hired by Mrs. Hackett on ***,***

15. Gina Reyes is an attorney in Durango, 1060 E. 2 nd Ave Durango, CO 81301. .

D. FACTS PERTAINING TO THE CASE

16. On or about May 14, 2010, Jacqueline . Hackett filed for divorce from her husband, Clifford "RAY" Hackett She had been having an affair with Judge John A. Dean.

17. On this same date, prior to Mr. Hackett being served with divorce papers, Judge Dean ordered that Jacqueline Hackettbe given complete custody of the kids. This occurred the same day her divorce was filed in San Juan County District Court.

18. The above order was temporary until the parties went to trial or it was modified by the court.

19. In December

20. After filing for divorce, Jacqueline Hackett purchased

21. Clifford "RAY" Hackettwas not served with the summons for his divorce until January 16, 2002. A Marshall broke into his house.

22. This represents a violation of Supreme Court Rule 1.9 of New Mexico Rules of Professional Conduct for attorneys.

23. The marshall was

24. At that time, Mr. Hackett w

25. Counsel qw refused to Mr. Hackett

26. On July 23, 20

27. Attorney Doering had represented Clifford "RAY" Hackettin an oil lease matter (Case No. 85C234) from 1985 until 1988 without Mr. Hackett ’s knowledge.

28.

29. Interrogatories for this casey (Exhibit A – first and last page of interrogatories only).

30. .

31. On September 5, 20, Judge Dean denied the motion filed by Mr. Hackett to disqualify.

32. At this hearing

33. Mr. Hackett ’s divorce proceedings continued for over five years from the time Mrs. Hackett filed. During that time, the court granted approximately 99% of the motions in favor of Jacqueline Hackett .

34. On or about October 18, 2002, Mr. Hackett f

35. On November 20, 2002, Judge Brewster was assigned to the Hackett case, due to an apparent conflict of interest concerning Judge Brazil.

36. On February 7, 20

37. On February 27, 2003, a telephone conference was held between Attorney Doering and Judge Brewster without Clifford "RAY" Hackettor anyone representing him included. The court files show that this was a hearing, but it was actually a phone call (Exhibit C).

38. During this phone call,

39. On this

40. Attorney

41. On February

42. On December 11, 2003,

43. On January 8, 2004,

44. Mr. Hackett was becoming increasingly frustrated with the lack of performance by

45. On April 6, 2004, the court ordered Clifford "RAY" Hackettto

46. On April 12, 2004 Attorney

47. Mr. Hackett

48. Even though it is a violation of

49. Due to increased anxiety and frustration over the dispersement of his assets by the court,Clifford "RAY" Hackett’s physician recommended that he not participate in any more court hearings due to poor health and heart problems.

50. On May Mr. Hackett ’s motion was denied by the court.

51. On July 20, 2004, the court ordered that … be given to Jacqueline Hackett .

52. On August 6, 2004, the court ordered … be given to the clerk of the District Court of San Juan County. No reasonable explanation was given by the court for this order.

53. On August 27, 2004, Ed Bideau III, attorney for Mitch Hackett , sent a letter to Judge Brewster in regard to Attorney Doering’s unethical conduct involving ex parte matters (Exhibit E).

54. On September 1, 2004, Judge.

55. On September 10, 2004, Attorney Doering ignored this request.

56. On September 13, 2004, attorney Glenn Casebeer called San Juan County court and asked Judge Lorentz if they would withdraw the bench warrant for the arrest ofClifford "RAY" Hackett. This was denied.

57. Mr. Hackett went down to the courthouse to answer the bench warrant and was fingerprinted by the sheriff. He was not put in jail and still doesn’t know if he was formerly arrested.

58. During this time, Glenn Casebeer told Mr. Hackett there was no official paperwork filed for the bench warrant issued. Unknown to the plaintiff, Mr. Casebeer then filed a habeas corpus to make it appear that this was how Mr. Hackett was released from jail.

59. On September 27, 2004, Hackett , sent a letter to Judge Lorentz to summarize the case involving his client .

60. On December 2, 2004, Mr. rClifford "RAY" Hackett, sent a letter to Judge Lorentz also detailing the Hackett case (Exhibit F.)

61. On December 9, 2004, Mr. Casebeer filed a motion to set aside the bench warrant order. The court records show that this was granted and Clifford "RAY" Hackettwas released, but he was never incarcerated.

62. On this same date, Judge Lorentz appointed Special Master

63. Clifford "RAY" Hacketthad tried twice to file an answer and cross-petition praying for an equitable division of marital property, but these were both denied by the court.

64. Approximately 95% of the motions filed byClifford "RAY" Hackett were denied by San Juan County Court since January 16, 2002, when he was served.

65. Jacqueline Hackett had an affair with Judge Dean, throughout much of the divorce proceedings. Clifford "RAY" Hacketthad hired a private investigator who obtained recordings of them

66. From March 10, 2005 until October 31, 2005, all of the pleadings filed within this case were filed on behalf of Mitch Hackett and Jacqueline Hackett .

67. In the summer of 2005, Clifford "RAY" Hackettfiled complaints against Attorney Doering and his former attorneys with the. His complaints were dismissed “in accordance with Supreme Court Rule 209 as being without merit.”(Exhibit G).

68. On July 29, 2005, Mr. Hackett

69. On October 3, the court ignored this motion entirely.

70. In late October, 2005, Mr. Casebeer commented to Clifford "RAY" Hackettthat the way the court was handling his divorce was “criminal.” He told him it was “the biggest theft ring he had ever seen.”

71. On November 1, 2005,

72. At this time, attorney

73. On or about December 9, 2005,

74. On Feb. 14, 2006, Clifford "RAY" Hackett

75. In early March, 2006, Mr. Hackett went to the San Juan County courthouse to discuss the oil lease matter with ..told him to “take his problems elsewhere, or to another county.”

76. Mr. Hackett then went to the sheriff’s Sheriff Williams said, “What do you want to go and get all these lawyers and judges in trouble for?”

77. On March 16, 2006, Attorney Doering tried to subpoena the Kansas Department of Labor for the financial reports of

78. On March 17, 2006, attorneys Harry Najim and Steve Blaylock filed a motion to bifurcate and grant a decree of divorce on behalf of Clifford "RAY" Hackett.

79. Attorney Doering filed a motion on March 20, 2006 for an order to show cause why Clifford "RAY" Hackett should not be held in contempt for disposing of assets. There was no factual basis for the order.

80. Jacqueline Hacketthad disposed of assets during divorce proceedings. Clifford "RAY" Hackett had not.

81. On April 26, 2006, Clifford "RAY" Hackett faxed a letter to the San Juan County Court stating that he did not sign interrogatories in San Juan County Case The San Juan County District Court disregarded Mr. Hackett ’s fax.

82. On or about May 8, 2006,

83. Clifford "RAY" Hackettrefused,

84. Clifford "RAY" Hackettwas severely distraught over the intentional acts of the attorneys and judges in his divorce proceedings. His family had split up and he hadn’t spoken to his daughters in years. The defendants couldn’t have cared less.

85. While entering the courthouse for a hearing on May 8, 2006,..devised a plan to provoke Clifford "RAY" Hackettto anger. .

86. Attorney Doering

87. Attorney Doering then

88. Mr. Hackett called the Association for Honest Attorneys for assistance in May, 2006. He was to the point that he felt his life would be better if it ended. The mental anguish and emotional distress of his divorce dragging out for five years had taken its toll on his health, and he felt he was dying a slow death.

89. Mr. Hackett told A.H.A! C.E.O. Joan Heffington that he had given attorneys Harry Najim and Steve Blaylock a $40,000 retainer fee in February, 2006, and they had used it all up in two months just talking to each other.

90. On or about May 15, 2006, Joan Heffington told Clifford "RAY" Hackettthat the A.H.A! could help him prepare legal pleadings naming his wife, the attorneys and the court as defendants. Mr. Hackett agreed that he wanted to do this, and fired attorneys Harry Najim and Steve Blaylock by fax on May 24, 2006.

91. Ms. Heffington wrote to Attorney Doering and Judge Innes on June 6, 2006 to try and resolve this matter prior to litigation, but to no avail.

92. Clifford "RAY" Hackettwent to the courthouse on August 10, 2006

93. Joan Heffington attended a hearing in San Juan County court on July 31, 2006

94. Harry Najim withdrew asn Clifford "RAY" Hackett’s counsel at the July 31 hearing. At that time, Clifford "RAY" Hackett asked Judge Innes that his legal files be released to Ms. Heffington. Judge Innes ordered that if Mr. Hackett wrote to Mr. Najim to request them, that this would be done.

95. Prior to releasing Mr. Hackett ’s files to the A.H.A!, Mr. Najim went through them thoroughly and redacted numerous items. Mr. Najim later tried to charge Clifford "RAY" Hackettover $3,000 for his time, even though Mr. Hackett had fired him two months earlier.

96. Upon receiving the files, the A.H.A! determined that sexually explicit photographs of Attorney Doering and Jacqueline Hackett , who had been having an affair, were missing from the court file. They were listed as Exhibits in Vol. X, Item 64.

97. At the hearing on July 31, 2006, Judge

98. As a result of the unethical and illegal practices of the defendants in this matter, Clifford "RAY" Hackettwas subjected to such severe emotional distress that no person should have to endure.

99. Altogether, 2 lawyers either quit or recused themselves since Jacqueline Hackett filed for divorce.

100. There was bias on the part of all judges in this matter, and extreme leniency by the court toward Jacqueline Hackettand Attorney Doering. Doering had continued to advise the court that Mrs. Hackett had no money.

101. The initial filing of the divorce by Jacqueline Hackettin May, 2001 is invalid due to the lack of service on Clifford "RAY" Hackettuntil January, 2002. Other errors exist in court paperwork.

102. The court illegally granted Jacqueline Hackett custody ofClifford "RAY" Hackett’s auto parts store ( Hackett Auto Parts), a sole proprietorship, before he was even served with divorce papers. Since 2001, Mrs. Hackett and the defendants have siphoned an estimated $400,000 – $600,000 profit annually out of Hackett Auto Parts for their own use.

103. Jacqueline Hackett admitted on the court record that she altered books and records for Hackett Auto Parts.

104. There were orders for excessive payments to various entities, particularly Special Master Newbery, which were forced on Clifford "RAY" Hackettby the court. Attorney Doering was the “kingpin” of this collusive effort to deplete Clifford "RAY" Hackettof his assets and keep his client living the life she was accustomed to.

105. Due to the actions of the defendants in this matter, Clifford "RAY" Hacketthas been unable to properly file his income tax for Hackett Auto Parts since 2002. The defendants maintained control of the books and records.

106.

107. Plaintiff is justified in his claims involving tort of outrage and outrageous government conduct in this matter. Due to such outrageous government conduct, Clifford "RAY" Hackett has been unable to obtain effective assistance of counsel to date and must proceed pro se in this matter.

108. All of the defendants violated Clifford "RAY" Hackett’s rights under the 5th Amendment by prolonging his legal matter without good cause and with the objective of depleting his assets for their own use. Therefore, the doctrine of special circumstances applies with regard to Clifford "RAY" Hackett’s lack of legal representation and his necessity to proceed pro se.

109. Clifford "RAY" Hacket twas unaware of the fraud-related crimes which had occurred in his divorce proceedings until he spoke with Joan Heffington of the A.H.A! on or about May 15, 2006.

110. Plaintiff has demanded that defendants take action to make plaintiff whole for his losses. Defendants have refused plaintiff’s demands.

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 due to the influence of his attorneys by opposing counsel and the court. The overt acts of fraud and collusion in this matter which were engaged in by the defendants to deprive Clifford "RAY" Hackettof his assets include, but are not limited to: orderingClifford "RAY" Hackett’s C.D.s to be cashed and paid to the court without a proper basis for doing so, the court granting Jacqueline Hackettcontrol of Hackett Auto Parts (a sole proprietorship owned by Mr. Hackett ) without a proper basis for doing so, funneling money to a special master without a proper basis for doing so, Mr. Hackett ’s lawyers firing themselves, the court ordering a bench warrant prior to service onClifford "RAY" Hackett, ex parte communications on the part of all defendants, as well as meetings, telephone calls, e-mails, correspondence, “mental processes” and other communications to illegally dispose of Mr. Hackett ’s income and assets among the defendants. These communications were also the overt acts used by the defendants to deny Mr. Hackett his right to be heard by influencing his counsel to “go along with the game.” Violations also exist concerning Kansas Supreme Court Rule 227, and Mr. Hackett should be reimbursed by the Lawyers’ Fund for Client Protection (LFCP) for the dishonest conduct of the lawyers and judges in this matter.

This case warrants claims involving tort of outrage, bad faith, outrageous government conduct and manifest injustice. The defendants 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

1. Violations of Plaintiffs’ 5th Amendment Rights

(as incorporated to the States through the 14th Amendment)

111. Plaintiffs incorporate by reference paragraphs 1 through 110 of this Petition.

112. The conduct of the defendants in depriving Clifford “RAY” Hackett of his property (income and assets) without due process of law 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.

113. The defendants owed Clifford “RAY” Hackett 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 defendants’ overt acts of fraud denied him due process of law by influencing his attorneys through ineffective assistance of counsel.

114. The conduct of the defendants to participate in a conspiracy to deprive Clifford “RAY” Hackett of his income and assets and his right to be heard was an obvious interference with attorney/client privilege.

115. Plaintiff relied in good faith that the attorneys, judges and other court officials would act legally and ethically in resolving his divorce.

116. 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.

117. The defendants breached the duty owed Clifford “RAY” Hackett and willfully deprived him of his property and his right to be heard.

118. As a result of the defendants’ conduct to deprive Clifford “RAY” Hackett of his due process rights, plaintiff has suffered damages in excess of $75,000.00.

WHEREFORE, plaintiff respectfully requests judgments of the court against all of the defendants awarding to plaintiff (i) damages in excess of $75,000.00 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.

2. Civil Conspiracy and/or Collusion

119. Plaintiffs incorporate by reference paragraphs 1 through 118 of this Petition.

120. The conduct of the defendants to devise a plan to deprive Clifford “RAY” Hackett of his assets, including but not limited to: denying mr Hackett an attorney although mr Hackett’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.

121. By participating in the plan to deprive Clifford “RAY” Hackett of his assets, the defendants acted with the intent of engaging in illegal and unethical activities to deplete Mr. Hackett of his assets which included his life’s work and savings, having full knowledge that such acts were substantially certain to result in injury and detriment to Clifford “RAY” Hackett and his family.

122. The conduct of the defendants in conspiring to deprive Mr. hackett of his income and assets which destroyed his family relationships and damaged his health constitutes civil conspiracy and/or collusion.

123. The conduct of all of the defendants set forth herein constitutes civil conspiracy and/or collusion.

124. As a result of the defendants’ civil conspiracy and/or collusion, plaintiff has been damaged in excess of $75,000.00.

WHEREFORE, plaintiff respectfully requests judgments of the court against the above named defendants awarding to plaintiff (i) damages in excess of $75,000.00 for each defendant; (ii) pre- and post-judgment interest; (iii) costs, including reasonable attorney fees, for this action; and (iv) any other relief deemed just and equitable by the court.

3. Fraud and Misrepresentatoin

125. Plaintiff incorporates by reference paragraphs 1 through 124 of this Petition.

126. By participating in a plan to engage in overt acts to fraudulently deprive Clifford “RAY” Hackett of his income and assets while using the legal system as their “front,” all of the defendants had full knowledge that their acts and failures to act were substantially certain to result in injury and detriment to Clifford “RAY” Hackett and his family.

127. At all relevant times, the defendants recognized that engaging in the fraudulent overt acts to disperse Clifford “RAY” Hackett’s income and assets would result in mental anguish and severe detriment to Mr. Hackett and his family.

128. At all relevant times, Clifford “RAY” Hackett was without knowledge or means of knowing that the court system was untrustworthy, and was trusting and relying on his counsel’s knowledge to finalize his divorce and conduct proceedings legally and ethically so that a fair division of his assets and income would result.

129. At all relevant times, Clifford “RAY” Hackett believed and relied that the attorneys, judges and court officials were acting in good faith, believing that his divorce proceedings were being conducted in an ethical manner.

130. At all relevant times, Clifford “RAY” Hackett was unaware of the defendants’ participation in a plan to deprive him of his income and assets, and that they were acting with willful rendering of imperfect performance in their respective positions.

131. The defendants’ participation in a devious plan to deprive Clifford “RAY” Hackett of his income and assets was with the intent and full knowledge that their conduct was substantially certain to result in injury, death and detriment to Mr. Hackett and his family.

132. The defendants’ conduct was to inflict emotional distress on Mr. Hackett by abusing their power.

133. The conduct of the defendants to engage in the aforementioned plan constitutes fraud by commission/silence and intentional fraud.

134. As a result of the defendants’ fraud by commission/silence and intentional fraud, plaintiff has been damaged in excess of $75,000.00.

WHEREFORE, plaintiff respectfully requests judgments of the court against the above named defendants awarding to plaintiff (i) damages in excess of $75,000.00 for each defendant; (ii) pre- and post-judgment interest; (iii) costs, including reasonable attorney fees, for this action; and (iv) any other relief deemed just and equitable by the court.

4. Intentional Infliction of Emotional Distress

135. Plaintiff incorporates by reference paragraphs 1 through 134 of this Petition.

136. The defendants’ conduct in participating in a devious plan to deprive plaintiff of his income and assets without finalizing his divorce for five years was extreme and outrageous.

137. At all relevant times, the defendants’ participation in the devious plan was intentional and with full knowledge that their conduct was substantially certain to result in severe emotional distress and bodily harm to plaintiff.

138. The conduct of the defendants to participate in a devious plan to deprive plaintiff of his income and assets over five years was in bad faith, and violated the duties of good faith and fair dealing toward the plaintiff in this matter.

139. The conduct of the defendants was so outrageous in character, and so extreme in degree, as to go beyond all bounds of decency, and to be regarded as atrocious, and utterly intolerable in a civilized society. Reciting the facts in this matter to an average person causes resentment toward all defendants, and leads them to exclaim: “Outrageous!”

140. Due to the defendants’acts and failures to act, plaintiff suffered extreme emotional distress, mental anguish and bodily harm.

141. The outrageous conduct of the defendants constitutes intentional infliction of emotional distress.

142. As a result of the outrageous conduct by all defendants, plaintiff has been damaged in excess of $75,000.00.

WHEREFORE, plaintiff respectfully requests judgments of the court against all of the defendants awarding to plaintiff (i) damages in excess of $75,000.00 for 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,

Clifford “RAY” Hackett

440 Kapiolani, Hilo, hawaii, 96720, Phone: (808)365-9745

By________________________________

Clifford “RAY” Hackett, pro se

DEMAND FOR JURY TRIAL

Plaintiff respectfully requests that the issues in this matter be heard by a jury.

Respectfully submitted,

Clifford “RAY” Hackett

440 Kapiolani, Hilo, hawaii, 96720, Phone: (808)365-9745

By________________________________

Clifford “RAY” Hackett, pro se

DESIGNATION OF TRIAL

Plaintiff designates Hilo, hawaii, 96720 as the location for the trial in this matter.

Respectfully submitted,

Clifford “RAY” Hackett

440 Kapiolani, Hilo, hawaii, 96720, Phone: (808)365-9745

By________________________________

Clifford “RAY” Hackett, pro se