Reply
 
LinkBack Thread Tools Display Modes
  #1   Report Post  
Old December 1st 09, 01:28 AM posted to rec.games.chess.politics
external usenet poster
 
First recorded activity by ChessBanter: Jun 2009
Posts: 406
Default Roberts files fourth lawsuit

IN THE 204th DISTRICT COURT for
HIUDSPETH COUNTY, TEXAS

Marcus Wayne Roberts, a citizen of the United States of America

V. CASE NO _________________________

Rio Grand Electric Cooperative, Inc., a Texas Corporation
Dan Laws, General Manager/CEO, Rio Grande Electric Cooperative, Inc.
Cerro Alto Development, Inc., a Texas Corporation
John E. Turner, President, Cerro Alton Development, Inc. and Constable
Of Hudspeth County, Texas, District 3

COMPLAINT

PARITIES TO LAWSUIT
1 Plaintiff, Marcus Wayne Roberts, physical address 19308 France Silva
Avenue, El Paso, Texas 79996 mailing address PO BOX 961029, El Paso,
Texas 79996.
2. Rio Grande Electric Cooperative, Inc., Highway 90 & SH 131,
Brackettville, Texas 78832
3. Dan Laws, Highway 90 & SH 131, Brackettville, Texas, 78832
4. Cerro Alto Development, Inc.11900 Montana Avenue, El Paso, Texas,
79936
5. John E. Turner, 11900 Montana Avenue, El Paso, Texas, 79936
JURISDICTION
6. Defendants claim that power is not a constitutional right and
dispute jurisdiction in the Western District of Texas. Plaintiff has
no choice but to file suit in State Court while Federal Court resolves
jurisdictional questions, to protect his claims. Claims could exceed
200,000 dollars for being cold in punitive damages. District Court is
appropriate.
VENUE
7. Property owned by the Plaintiff sits in Hudspeth County, Texas, in
the Western Federal District of Texas. Defendants with Rio Grande
Electric, Inc. provide power to Plaintiff’s next door neighbor.
Defendant Cerro Alto Development, Inc., and Constable John Turner sold
property to Plaintiff in Hudspeth County, Texas. (See exhibit “A”) in
lawsuit EP09CV0403.

COUNT 1: REFUSAL TO CONNECT POWER
8. Dan Laws, CEO of Rio Grand Electric Cooperative, refuses to connect
power to TWO LOTS adjacent my homestead for RV use. I need two 200 amp
poles. In an email dated November 24, 2009. Mr. Law refuses to
establish power along the same lines as the lawsuit filed by me
against Rio Grande Electric Cooperative, Inc. et.al. (EP09CV0403) on
November 9, 2009. Plaintiff seeks unspecified damages for TWO RV
rental sites. Appropriate sewage facilities and water supplies have
been constructed.
COUNT II: EXTORTION
9. Plaintiff has been charged with a class “B” misdemeanor relating to
the power hookup request. Mr. Laws, again, attempts to extort a
confession. Plaintiff seeks unspecified damages and punitive damages
for EXTORTION in email dated Tuesday, November 24, 2009.
COUNT III: BREECH OF CONTRACT
10. Constable Turner guaranteed by contract power was readily
available. Plaintiff seeks unspecified damages.
COUNT IV: DECEPTIVE TRADE PRATICES
11. Plaintiff seeks depictive seeks TRIPLE damages against defendant
Turner and Cerro Alto Development Company for inability to use
property (lots 5 and 6) for RV placement. Plaintiff alleges Defendant
Turner knew of neighbors in Deer Mountain being refused power
connections and refused to disclose fact to Plaintiff prior to sale of
property. Plaintiff’s neighbors live in fear of being arrested by
Constable Turner if they complain about power service or outages.
Plaintiff seeks TRIPLE unspecified damages.
COUNT V: FALSE ADVERTISING
12. Defendant Turner and his company openly advertises ELECTRICITY
AVIABLE by sign at entrance to subdivision off Montana Avenue for Deer
Mountain, in which Plaintiff paid Defendant approximately 30,000
dollars for 3 lots. No electricity is available. Plaintiff seeks
unspecified damages against Defendant Turner and his company.

COUNT VI: MENTAL ANGISH AND PUNATIVE DAMAGES
13. Plaintiff seeks punitive damages for mental anguish. Plaintiff is
unable to get heat in his home. Plaintiff has heart condition, and
can’t stay warm on his property in new mobile home or in RV’s.
PLANTIFF IS COLD! This damage claim overlaps claims for damages made
by plaintiff for the first lot. Plaintiff did not claim MENTAL ANGUISH
in first lawsuit. Plaintiff seeks unspecified damages.
14. Plaintiff seeks service of process feels and filing costs of 350
dollars and all other remedies at law from this HONORABLE COURT.

__________________________________________________ __
Marcus Wayne Roberts mailing address: PO BOX 961029
PRO SE El Paso, Texas 79996
Monday, November 30, 2009

  #2   Report Post  
Old December 1st 09, 02:29 AM posted to rec.games.chess.politics
external usenet poster
 
First recorded activity by ChessBanter: Oct 2009
Posts: 112
Default Roberts files fourth lawsuit

On Nov 30, 8:28*pm, NONE wrote:
IN THE 204th DISTRICT COURT for
HIUDSPETH COUNTY, TEXAS

Marcus Wayne Roberts, a citizen of the United States of America

V. * * * * * * * * * * * * * * * * * * * CASE NO _________________________

Rio Grand Electric Cooperative, Inc., a Texas Corporation
Dan Laws, General Manager/CEO, Rio Grande Electric Cooperative, Inc.
Cerro Alto Development, Inc., a Texas Corporation
John E. Turner, President, Cerro Alton Development, Inc. and Constable
Of Hudspeth County, Texas, District 3

COMPLAINT

PARITIES TO LAWSUIT
1 Plaintiff, Marcus Wayne Roberts, physical address 19308 France Silva
Avenue, El Paso, Texas 79996 mailing address PO BOX 961029, El Paso,
Texas 79996.
2. Rio Grande Electric Cooperative, Inc., Highway 90 & SH 131,
Brackettville, Texas 78832
3. Dan Laws, Highway 90 & SH 131, Brackettville, Texas, 78832
4. Cerro Alto Development, Inc.11900 Montana Avenue, El Paso, Texas,
79936
5. John E. Turner, 11900 Montana Avenue, El Paso, Texas, 79936
JURISDICTION
6. *Defendants claim that power is not a constitutional right and
dispute jurisdiction in the Western District of Texas. Plaintiff has
no choice but to file suit in State Court while Federal Court resolves
jurisdictional questions, to protect his claims. Claims could exceed
200,000 dollars for being cold in punitive damages. District Court is
appropriate.
VENUE
7. Property owned by the Plaintiff sits in Hudspeth County, Texas, in
the Western Federal District of Texas. Defendants with Rio Grande
Electric, Inc. provide power to Plaintiff’s next door neighbor.
Defendant Cerro Alto Development, Inc., and Constable John Turner sold
property to Plaintiff in Hudspeth County, Texas. (See exhibit “A”) in
lawsuit EP09CV0403.

COUNT 1: REFUSAL TO CONNECT POWER
8. Dan Laws, CEO of Rio Grand Electric Cooperative, refuses to connect
power to TWO LOTS adjacent my homestead for RV use. I need two 200 amp
poles. In an email dated November 24, 2009. Mr. Law refuses to
establish power along the same lines as the lawsuit filed by me
against Rio Grande Electric Cooperative, Inc. et.al. (EP09CV0403) *on
November 9, 2009. Plaintiff seeks unspecified damages for TWO RV
rental sites. Appropriate sewage facilities and water supplies have
been constructed.
COUNT II: EXTORTION
9. Plaintiff has been charged with a class “B” misdemeanor relating to
the power hookup request. Mr. Laws, again, attempts to extort a
confession. Plaintiff seeks unspecified damages and punitive damages
for EXTORTION in email dated Tuesday, November 24, 2009.
COUNT III: BREECH OF CONTRACT
10. Constable Turner guaranteed by contract power was readily
available. Plaintiff seeks unspecified damages.
COUNT IV: DECEPTIVE TRADE PRATICES
11. Plaintiff seeks depictive seeks TRIPLE damages against defendant
Turner and Cerro Alto Development Company for inability to use
property (lots 5 and 6) for RV placement. Plaintiff alleges Defendant
Turner knew of neighbors in Deer Mountain being refused power
connections and refused to disclose fact to Plaintiff prior to sale of
property. Plaintiff’s neighbors live in fear of being arrested by
Constable Turner if they complain about power service or outages.
Plaintiff seeks TRIPLE unspecified damages.
COUNT V: FALSE ADVERTISING
12. Defendant Turner and his company openly advertises ELECTRICITY
AVIABLE by sign at entrance to subdivision off Montana Avenue for Deer
Mountain, in which Plaintiff paid Defendant approximately 30,000
dollars for 3 lots. No electricity is available. Plaintiff seeks
unspecified damages against Defendant Turner and his company.

COUNT VI: MENTAL ANGISH AND PUNATIVE DAMAGES
13. Plaintiff seeks punitive damages for mental anguish. Plaintiff is
unable to get heat in his home. Plaintiff has heart condition, and
can’t stay warm on his property in new mobile home or in RV’s.
PLANTIFF IS COLD! This damage claim overlaps claims for damages made
by plaintiff for the first lot. Plaintiff did not claim MENTAL ANGUISH
in first lawsuit. Plaintiff seeks unspecified damages.
14. Plaintiff seeks service of process feels and filing costs of 350
dollars and all other remedies at law from this HONORABLE COURT.

__________________________________________________ __
Marcus Wayne Roberts * * * * * *mailing address: PO BOX 961029
PRO SE * * * * * * * * * * * * * * * * * * * * * * El Paso, Texas 79996
Monday, November 30, 2009


Why did you take out your claim to the Ambassadorship of St. Kitts and
Nevis in your complaint? Surely you must know that Dan Laws will
perceive this as a sign of weakness and use it against you in order to
further his own nefarious power-withholding schemes!

I urge you, in the bowels of Her Majesty Queen Elizabeth II, please
reconsider your filing, Ambassador Roberts! People need to know who
you are and the powerful nation you represent!
  #3   Report Post  
Old December 1st 09, 03:41 AM posted to rec.games.chess.politics
external usenet poster
 
First recorded activity by ChessBanter: Oct 2007
Posts: 3,073
Default Roberts files fourth lawsuit

On Nov 30, 9:29*pm, Matt Nemmers wrote:

Why did you take out your claim to the Ambassadorship of St. Kitts and
Nevis in your complaint? *Surely you must know that Dan Laws will
perceive this as a sign of weakness and use it against you in order to
further his own nefarious power-withholding schemes!

I urge you, in the bowels of Her Majesty Queen Elizabeth II, please
reconsider your filing, Ambassador Roberts! *People need to know who
you are and the powerful nation you represent!-


20,000 comedians out of work and then along came Nemmers.
Reply
Thread Tools
Display Modes

Posting Rules

Smilies are On
[IMG] code is Off
HTML code is Off
Trackbacks are On
Pingbacks are On
Refbacks are On


Similar Threads
Thread Thread Starter Forum Replies Last Post
Roberts files second lawsuit NONE rec.games.chess.politics (Chess Politics) 10 December 2nd 09 06:33 AM
Polgar Opposition to Cross-Motion MrVidmar rec.games.chess.politics (Chess Politics) 0 September 9th 09 06:11 PM
Polgar Opposition to Cross-Motion MrVidmar rec.games.chess.misc (Chess General) 0 September 9th 09 06:11 PM
Polgar Opposition to Cross-Motion MrVidmar alt.chess (Alternative Chess Group) 0 September 9th 09 06:11 PM
PIG COPS in the FEDERAL GOVERMENT HARASS MARCUS ROBERTS NONE rec.games.chess.politics (Chess Politics) 4 August 20th 09 07:41 PM


All times are GMT +1. The time now is 11:44 PM.

Powered by vBulletin® Copyright ©2000 - 2019, Jelsoft Enterprises Ltd.
Copyright ©2004-2019 ChessBanter.
The comments are property of their posters.
 

About Us

"It's about Chess"

 

Copyright © 2017