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CHRISTOPHER KING, J.D.

http://kingcast.net http://mortgagemovies.blogspot.com

617.543.8085m

22 January 2013

VIA CERTIFIED U.S. MAIL and email

Re:

Cost of Federal Defense for Title XIX Litigation Occasioned by DSS Malfeasance

Dear Commissioner Bremby and Attorney Jepsen:

This letter serves as a demand for immediate production of information of publicly- held information relative to the current Title XIX litigation (i.e. Shafer v. Bremby 12-

CV-00039 and Briggs v. Bremby, 12-CV-000324 and) that has resulted as a direct and

proximate cause of the State’s willful malfeasance in this area.

Such malfeasance has had a marked impact on the quality of life for thousands of Connecticut residents in terms of healthcare and food stamps, and to compound injury both of you have issued material lies in Shafer v. Bremby 12-CV-00039, in which both of you know damn well that the Title XIX application for Intervenor Betty J. King was submitted in full on 15 December, 2011. The pending Motion for Sanctions to which you were granted an extension of time until 28 January 2013 to respond is the direct and proximate result of your lies. A Complaint to the Statewide Grievance Committee will be forthcoming as well, because frankly, you’ve earned it. See generally Exhibit 1 (part of the email correspondence from my sister and me to Title XIX Case Worker Diane Wood, whom you have failed to produce an affidavit from) as embedded below.

Now then please provide for immediate inspection the following items per The Connecticut Freedom of Information Act, §14 Section 1-200 et seq:

Briggs v. Bremby, 12-CV-000324

  • 1. Documentation showing the total number of attorney hours expended from 5 March, 2012 to 22 January, 2013. Be certain to include the relevant hourly rate for each block of time.

Shafer v. Bremby 12-CV-00039:

  • 1. Documentation showing the total number of attorney hours expended from 9 January, 2012 to 22 January, 2013. Be certain to include the relevant hourly rate for each block of time.

  • 2. Documentation showing the total number of attorney hours expended defending the Motion to Intervene of Betty J. King from 2 November 2012 to 22 January, 2013. Be certain to include the relevant hourly rate for each block of time.

Gentlemen, as I made clear in this YouTube video (the open letter to Judge Alvin Thompson) http://www.youtube.com/watch?v=yw5r_0uEwDU and others, as a former Assistant State Attorney I find your conduct and that of your subordinates to be entirely contemptible and I will spare no expense to grind your noses in it until you own up to what you have done. Further, this information must be provided with fees waived because the information sought is clearly in the public benefit per §1-212. If you refuse to provide it free of cost, or if there is any delay in your responses I will relay the information to the Office of Governmental Accountability and sue you post haste.

Sincerely,

/s/Christopher King, J.D.

______________________________ Christopher King, J.D.

cc: John N. Moore, Esq.

  • NORMA E. RIESS, Chairman (Term ends June 30, 2012)

  • SHERMAN D. LONDON (Term ends June 30, 2012)

  • AMY J. LIVOLSI (Term ends June 30, 2015)

  • OWEN P. EAGAN (Term ends June 30, 2015)

  • JAY A. SHAW, (Term ends June 30, 2014)

  • JONATHAN EINHORN (Term ends June 30, 2013)

  • SEAN K. McELLIGOTT (Term ends June 30, 2013)

  • MATTHEW STREETER (Term ends June 30, 2013)

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