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UNITED STATES DISTRICT COURT

MIDDLE DISTRICT OF FLORIDA


FT. MYERS DIVISION

JENNIFER FRANKLIN PRESCOTT AND DR. JORG BUSSE,

Plaintiffs,

vs.

Case No. 2:08-cv-364-JES-SPC

STATE OF FLORIDA, BOARD OF TRUSTEES OF THE INTERNAL


IMPROVEMENT TRUST FUND, STATE OF FLORIDA DEPARTMENT
OF ENVIRONMENTAL PROTECTION, DIVISION OF RECREATION
AND PARKS; HAROLD G. VIELHAUER, L. KATHRYN FUNCHESS,
REAGAN K. RUSSELL, REGINALD NORMAN, TOM BEASON; LEE
COUNTY, FLORIDA, BOARD OF LEE COUNTY COMMISSIONERS;
KENNETH M. WILKINSON, LEE COUNTY PROPERTY APPRAISER’S
OFFICE; LEE COUNTY ATTORNEY, JACK N. PETERSON, DONNA
MARIE COLLINS, DAVID M. OWEN; SHERRI L. JOHNSON,

Defendants.
____________________________________________________________/

APPELLANTS’ NOTICE OF THEIR CRIMINAL COMPLAINTS


AGAINST CHARLES B. “BARRY” STEVENS

Respectfully submitted,

/s/Jennifer Franklin Prescott, Plaintiff, pro se


SIGNATURE OF PLAINTIFF
Mailing address: P.O. Box 845, Palm Beach, FL 33480-0845; Tel: 954-290-5602

/s/Jorg Busse, M.D., M.M., M.B.A., Plaintiff, pro se


SIGNATURE OF PLAINTIFF
Mailing address: P.O. Box 7561, Naples, FL 34101-7561; Tel: 239-595-7074

ATTACHMENTS

CRIMINAL COMPLAINTS BY DR. JORG BUSSE, AND J. FRANKLIN PRESCOTT


AGAINST CHARLES B. “BARRY” STEVENS
Dr. Jorg Busse, M.M., M.B.A., C.P.M.
P.O. Box 7561
Naples, FL 34101-7561
Jennifer Franklin Prescott
P.O. Box 845
Palm Beach, FL 33480-0845

CRIMINAL COMPLAINTS BY DR. J. BUSSE, AND J. FRANKLIN PRESCOTT


AGAINST CHARLES B. “BARRY” STEVENS

STATE OF FLORIDA

BEFORE ME, the undersigned authority authorized to administer oaths and take

acknowledgments, personally appeared Dr. Jorg Busse, and Jennifer Franklin Prescott,

and who, after first being duly sworn, depose and say upon oath:

1. We, DR. JORG BUSSE, and JENNIFER FRANKLIN PRESCOTT, hereby file

criminal charges against CHARLES B. “BARRY” STEVENS [“STEVENS”; Florida

Driver’s License # S315-142-54-086-0].

2. Hereby, said Complainants include by reference in their Criminal Complaint against

STEVENS any and all pleadings in the United States District Court, Case Numbers

2:07-cv-228-JES [“First Case”], and 2:08-cv-364-JES [“Second Case”], in the

United States Court of Appeals for the 11th Circuit, Case Numbers 08-13170-BB, and

08-14846-FF, and in the Lee County Circuit Court, Case Number 06-CA-003185.

3. Complainants are the only legal owners of record of Cayo Costa Lot 15A. See Federal

Land Patent, Lee County Deed Book C, Page 110; Lee County Instrument Number
2008000101396, Property I.D. 12-44-20-01-00015.015A; Lee County Plat Book 1,

pp. 48, 51, 52, and Plat Book 3, p. 25.

4. Without any authority, and on his own behalf, STEVENS trespassed onto Cayo

Costa Lot 15A and damaged and/or destroyed the substantial fencing and “NO

TRESPASSING” signs. See, e.g., “First Case”; Doc. # 354.

5. STEVENS encouraged the public to trespass onto the admittedly private

undedicated Cayo Costa Subdivision and Lot 15A.

6. STEVENS assaulted DR. BUSSE and PRESCOTT on their Lot 15A. See, e.g., June

2008 “Affidavit(s) of Charles B. Stevens”, Lee County Circuit Court, Case No. 06-

CA-003185.

7. STEVENS maliciously interfered with Complainants’ Federally created property

interests and willfully deprived the Complainants of their well-proven Federal and

Constitutionally guaranteed rights under 18 U.S.C. §§ 241, 242, and 42 U.S.C.

§§1983, 1985, 1988.

8. STEVENS violated the Final Order in JOHN LAY AND JANET LAY v. STATE OF

FLORIDA, OGC Case 01-0203/0204; DOAH Case No. 01-1541/1542; and DEP 01-

0860/0876.

9. In the alleged conspiracy, STEVENS implicated KENNETH M. WILKINSON.

STEVENS used WILKINSON’S “maps” to defraud and deprive the Complainants

of their real and personal property.

10. STEVENS knew that his employer, the STATE OF FLORIDA, never had any

possessory or non-possessory interest in Complainants’ Lot 15A.

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11. STEVENS knew that Lee County, Florida, never had any possessory or non-

possessory interest in Complainants’ Lot 15A or concocted and unplatted lot “A”.

12. STEVENS conspired to misrepresent a manufactured lot “A”, which was never

platted or surveyed. See Lee County Plat Book 3, p. 25.

13. STEVENS conspired to misrepresent the legally defensible boundaries of said

Complainants’ riparian Lot 15A. See Rowe v. City of Fort Lauderdale, 279 F.3d 1271

(11th Cir. 2002); GJR Invs., Inc. v. County of Escambia, Florida, 132 F.3d 1359 (11th

Cir. 1998); Fullman v. Graddick, 739 F.2d 553 (11th Cir. 1984).

14. STEVENS has been liable for exposing the Complainants to life threatening fire

hazards in said Subdivision and to animal shootings. The April 2008 Cayo Costa

Fires totally destroyed Complainant(s)’ real and personal property.

15. STEVENS misrepresented himself as Cayo Costa State Park Manager. STEVENS is

not a professional surveyor and entirely unqualified to place legally defensible

boundaries on the soil under the law. STEVENS had no authority to arbitrarily and

capriciously misconstrue the Federal, State, and County Public Records.

16. STEVENS has no authority to destroy and/or damage the substantial fencing and “NO

TRESPASSING” signs marking Lot 15A.

17. STEVENS knew, or should have reasonably known, that DR. BUSSE, and

PRESCOTT are riparian Cayo Costa lot owners just like, e.g., JOHN LAY, JANET

LAY, ALEXANDER C. ROESCH, and ALICE M. S. ROBINSON. Under color of

authority, STEVENS has unlawfully oppressed and abused the Complainants. See,

e.g., JOHN LAY AND JANET LAY v. STATE OF FLORIDA, supra; Lee County Blue