Professional Documents
Culture Documents
EXHIBIT A
Case 2:19-cv-01398-JMA-ARL Document 1-1 Filed 03/11/19 Page 2 of 34 PageID #: 199
~-----------------------------------------------------------------J{
-against-
Respondents.
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1
Case 2:19-cv-01398-JMA-ARL Document 1-1 Filed 03/11/19 Page 3 of 34 PageID #: 200
PLEASE TAKE NOTICE that the undersigned claimant hereby makes claim and demand
1. The name and post~office address of each claimant and claimants' attorney is:
2. The nature of the claim: False arrest and imprisonment; Assault; battery; abuse of
process; invasion of privacy; defamation, defamation per se, libel, slander and a denial of state
On or about September 30, 2017 and continuing through the present, the respondents,
acting in concert with former United States Senator Alfonse D' Amato, the husband of the
claimant, caused his wife, KaturiaD' Amato to have her privacy invaded, to be wrongfully
2
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arrested and taken into custody~ falsely imprisoned her for three (3) days in South Nassau
Communities Hospital against her will and without consent of any kind; defamation and
defamation per se.libel and slander in that. among other things, the respondents wrote and
provided a report stating that the claimant was taking a prescribed medication known as Lithium.
The respondents swore to and testified to these and other facts knowing that they were untrue,
perjurious, unfounded and made on the basis of false information provided to them by fonner
Senator D'Amato. As a result of the lies perpetrated by the respondents, the claimant was
Hospital.
As a result of these and other actions by the respondents, the respondents caused the
claimant to lose temporary custody of her children and to have an order of protection unlawfully
entered against her. The respondents gave false and perjurious testimony at the behest of former
Senator D' Amato and his attorneys in December, 2017 wherein they claimed, among other
things, that the claimant was suffering from an "episodic psychosis" on September 30, 2017
which opinion contained in the aforementioned report and testimony, they were unqualified and
untrained to make.
The respondents came to the claimants home on the basis of an unfounded and
unnecessary domestic incident call and thereafter invaded the premises and privacy of the
claimant against her wishes and will; intentionally inflicting great emotional distress upon her;
wrongfully engaged in an illegal search and seizure of her premises and property including an
unused shotgun. without probable or even reasonable cause to believe that the claimant had
committed any crime or that she presented any actual danger to herself or others including, but
3
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not limited to, her daughter who was sound asleep in the premises at the time .
.. The respondents breached the quiet enjoyment of the premises of the claimant by forcing
their entry into the premises in the early morning hours of September 30,2017. The respondents
were misled, influenced and deceived by the former Senator who is, upon information and belief,
neurologically impaired and who was vindictively motivated to have the claimant taken into
custody in order to gain a tactical and strategic advantage in his matrimonial case which he
brought against the claimant soon after she was taken to the hospital and wrongfully detained
there without the benefit or access to her counselor her children. The claimant was prevented
from leaving the hospital, a hospital that the former Senator currently represents, headed by
Richard Murphy, with whom he claimed to have lunch the day pdor and with whom he regularly
lunches. The hospital wrongfully admitted the claimant on the basis of a false report and
information engineered and given to the hospital by former Senator D' Amato and the
respondents.
Upon information and belief, former Senator D' Amato told the police to take claimant to
the hospital.
Upon information and belief, former Senator D' Amato used such contacts, among others,
The respondents were no doubt influenced by the title of the former United States Senator
as well as his long standing political contacts and associations with elected and appointed
officials throughout the County. the State of New York and the nation. The former Senator is a
successful lobbyist who sells his influence and aforementioned contacts throughout the world.
The claimant was victimized by the former Senator and the respondents. The former Senator has
4
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not been charged with making a false statement to the police, although he should be, once again
due to his influence and contacts and sworn documents he filed in Nassau County Court in this
matter.
The claimant is an attorney and mother oftwo children. Her career, reputation and ability
to function as a parent and mother have 'all been severely damaged by these erroneous reports as
well as both the in court and out of court statements by the respondents, fanner Senator D' Amato
and his attorneys. Her children have been deprived of her nurturing and attendance. Both have
been damaged as a result of the actions of the respondents acting in concert with the former
Senator.
The respondents are poorly trained and unschooled in screening out or detennining
legitimate domestic violence cases or mentally aided calls from those such as this one which are
fabricated. Accordingly, the respondents were susceptible to the untoward and improper
3. The time when, the place where and the manner in which the claim arose: The
claimant was falsely detained by Nassau County Police Department on September 30, 2017 at her
home located at 67 Buxton Street, Lido Beach, Nassau County, New York.
4. The items of damage or injuries claimed are (do not state dollar amounts): Conscious
pain and suffering; wrongful detention; counsel fees; public ridicule and embarrassmeni"as well
as other physical and psychological injuries and damages to claimant and her young children yet
to be detennined.
The undersigned Claimant therefore presents this claim for adjustment and payment. You
are hereby notified that unless it is adjusted and paid within the time provided by law from the
5
Case 2:19-cv-01398-JMA-ARL Document 1-1 Filed 03/11/19 Page 7 of 34 PageID #: 204
date of presentation to you, the Claimants intend to commence an action on this claim.
6
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~ .t ,I "
INDIVIDUAL VERIFICATION
KATURIA D' AMATO, being duly sworn, depose and say that deponent is the claimant
in the within action; that he has read the foregoing Notice of Claim and know the contents
thereof; that the same is true to deponent's own knowledge, except as to the matters therein
stated to be alleged on infOlmation and belief, and that as to those matters deponents believe it to
be true.
THOMAS F. LlOTTI ,-
Notary Public, State of New York
No. 02L16080933
9U~/jfied in Nassau County
-C~mmlsslon Expires Sept. 23, 20 h,/ 0 .
Case 2:19-cv-01398-JMA-ARL Document 1-1 Filed 03/11/19 Page 9 of 34 PageID #: 206
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NOTICE OF CLAIM
Claimant,
-against-
Respondents.
------------------------------------------------------------------J(
NASSAU COUNTY POLICE OFFICERS JOHN & JANE DOE "I" through "6"
1490 Franklin Avenue
Mineola, New York 11501
PLEASE TAKE NOTICE that the undersigned claimant hereby makes claim and demand
1. The name and post-office address of each claimant and claimant's attorney is:
1
Case 2:19-cv-01398-JMA-ARL Document 1-1 Filed 03/11/19 Page 10 of 34 PageID #: 207
2. The nature of the claim: False imprisonment; abuse of process; invasion of privacy;
defamation, defamation per se, libel, slander and a denial of state and federal civil rights.
On June 25,2018 following a verbal dispute, not physical, with a neighbor, James Cash
of 53 Buxton Street, Lido Beach, New York, representatives from the Nassau County Police
Department responded to the scene located at 67 Buxton Street, Lido Beach, Nassau County,
New York. The neighbor apparently reported a verbal dispute to the Police Department. The
police arrived, together with private investigators and former United States Senator Alfonse
D' Amato, the claimant's estranged husband. Mr. Cash's wife is a Suffolk County Police Officer.
Upon information and belief, Mr. Cash called his wife and she then called the Nassau Police
Department. While no physical contact occurred, upon information and belief, Mr. Cash and/or
the Nassau County Police Department notified Alfonse D' Amato. He and the Nassau County
Police Department have been charged in a prior Notice of Claim with wrongfully engineering a
"mentally aided" call of the claimant which caused the claimant to be falsely imprisoned from
September 30,2017 through October 2,2017 at South Nassau Communities Hospital. In this
prior claim it has been alleged that the Nassau County Police Department colluded with Alfonse
D' Amato to have Mrs. D' Amato taken from her home to South Nassau Communities Hospital
against her will in violation ofthe State's Mental Hygiene Law and claimant's civil rights.
On June 25,2018 Mr. Cash who has one to two cameras pointed at the claimant's home,
approached the claimant's son, Alfonso and repeatedly stated to him at the time in words and
substance: "1 am sorry that your mom is the way she is. She is so bad." Alfonso was on a public
sidewalk at the time and so was Mr. Cash. The claimant told Mr. Cash to "leave her son alone."
Alfonso and claimant's daughter, Luciana, were both fearful of Mr. Cash and concerned that
2
Case 2:19-cv-01398-JMA-ARL Document 1-1 Filed 03/11/19 Page 11 of 34 PageID #: 208
their mother would be arrested after they overheard the police threaten the arrest.
When the police arrived they came to the claimant's front steps and told the claimant that
she should allow them entry to the home. They did not have a warrant and given the claimant's
prior history in September, 2017, she elected not to let them into her home.
The police then told the claimant that she would be contacted by aN assau Detective and
that she would be arrested for harassment unless she let them into her home and talked with
them. The claimant on June 26, 2018 has filed a complaint with the Nassau County District
Attorney against the police officers and the Nassau County Police Department for once again
wrongfully colluding with her husband to cause her to be falsely charged and arrested.
Among other things, the police threatened and tried to intimidate the claimant by stating
that she would be arrested if she did not allow them entry to her home. The police acted in an
ultra vires manner and attempted to gain entry to claimant's home under false pretenses and by
misstating the facts and the law when in fact the incident did not rise to the level of "harassment"
and Mr. Cash, his wife and Mr. D' Amato should have been investigated and charged with filing
Mr. D'Amato has continued to have the claimant falsely arrested, threatened, stalked and
harassed by the Nassau County Police Department and others. He illegally uses his political
power and influence over the Nassau County Police Department and others in order to gain a
tactical advantage against the claimant in a matrimonial and custody case pending in Nassau
County.
The respondents have caused the claimant to be assaulted by fear of apprehension in that
they remained outside her home for more than three hours blocking her exit and stating that she
3
Case 2:19-cv-01398-JMA-ARL Document 1-1 Filed 03/11/19 Page 12 of 34 PageID #: 209
would be arrested if she attempted to leave her home. The respondents invaded the claimant's
The respondents attempted to gain entry into the claimant's home without probable cause
and by creating a ruse that she would be "arrested" for harassment, a violation and not a crime.
The claimant, an attorney, has documented all of the respondents' misconduct together with that
of her husband.
The claimant has filed a complaint against the police, Mr. Cash and her husband
regarding the June 25, 2018 incident. The claimant here filed a criminal complaint with the
Nassau District Attorney's Office on June 26, 2018 against her husband, the police and Mr. Cash.
As a result the claimant has sustained compensatory, punitive damages and attorney's
3. The time when, the place where and the manner in which the claim arose: The
claimant was falsely detained by Nassau County Police Department on June 25, 2018 at her
home located at 67 Buxton Street, Lido Beach, Nassau County, New York.
4. The items of damage or injuries claimed are (do not state dollar amounts): Conscious
pain and suffering; wrongful detention; counsel fees; public ridicule and embarrassment as well
as other physical and psychological injuries and damages to claimant and her young children yet
to be determined.
The undersigned Claimant therefore presents this claim for adjustment and payment. You
are hereby notified that unless it is adjusted and paid within the time provided by law from the
date of presentation to you, the Claimants intend to commence an action on this claim.
4
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·.
\
~/~
/LAW OFFICES OF THOMAS F. LIOTTI
- ---Attorneys for Claimants
600 Old Country' Road, Suite 530
Garden City, New York 11530
5
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INDIVIDUAL VERIFICATION
KATURIA D' AMATO, being duly sworn, depose and say that deponent is the claimant
in the within action; that he has read the foregoing Notice of Claim and know the contents
thereof; that the same is true to deponent's own knowledge, except as to the matters therein
stated to be alleged on information and belief, and that as to those matters deponents believe it to
be true.
~
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_ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _0 _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ X
In the Matter of the Claim ofKATURlA D' AMATO,
NOTICE OF CLAIM
Claimant,
° -against-
Respondents.
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TO: COUNTY OF NASSAU
c/o Nassau County Attorney's Office
One West Street
Mineola, New York 11501
NASSAU COUNTY POLICE OFFICERS JOHN & JANE DOE "I" through "6"
1490 Franklin Avenue
Mineola, New York 11501
PLEASE TAKE NOTICE that the undersigned claimant hereby makes claim and demand
1. The name and post-office address of each claimant and claimant's attorney is:
2. The nature of the claim: False imprisonment; abuse of process; invasion of privacy;
defamation, defamation per se, libel, slander and a denial of state and federal civil rights.
1
Case 2:19-cv-01398-JMA-ARL Document 1-1 Filed 03/11/19 Page 16 of 34 PageID #: 213
This claim is based upon the wrongful prosecution of Katuria D' Amato on August 10,
2018 in the Nassau County District Court for Criminal Contempt, a Class A misdemeanor, in that
she allegedly violated a court protective order wrongfully entered against her on July 16, 2018.
The order of July 16, 2018 directed her to refrain from harassment, etc. of the complainants, Mr.
& Mrs. James Cash, the neighbors of the claimant. On July 31,2018 the complainants alleged a
violation of a protective order of July 16, 2018 in that the complainant, Mrs. Catherine Cash, a
Suffolk County Police Officer with presumably some knowledge of the law, falsely claimed that
the claimant had violated the aforesaid protective order by allegedly making "obscene hand
gestures". The claimant was falsely arrested, charged and detained all in violation of her
Constitutional and civil rights under both state and federal law.
The original charges from June 25, 2018 never should have been issued in the first place.
In like manner the Nassau District Attorney's Office requested a Protective Order of the
arraigning Judge, Hon. William Hohauser on July 16, 2018 which never should have been
requested or granted due to the fact that the complainants, Mr. & Mrs. Cash would abuse and
have abused that protective order by alleging a violation of it and causing the wrongful arrest and
The claimant notes that previous notices of claim have been filed by this claimant which
The specific compensatory and punitive damages have yet to be determined. The
claimant in addition to the foregoing violations of Constitutional and civil rights is also alleging
defamation, intentional infliction of emotional distress, public embarrassment and ridicule. The
claimant alleges that these respondents have colluded with claimant's husband, former United
2
Case 2:19-cv-01398-JMA-ARL Document 1-1 Filed 03/11/19 Page 17 of 34 PageID #: 214
States Senator Alfonse D' Amato and the Nassau County Police Department to discredit Mrs.
D' Amato and her claims against them both jointly and individually. Her consequential damages
include, but are not limited to, adverse inferences and impacts on her matrimonial and custody
As a result the claimant has sustained compensatory, punitive damages and attorney's
3. The time when, the place where and the manner in which the claim arose: The
claimant was falsely detained and charged by Nassau County Police Department on August 10,
2018.
4. The items of damage or injuries claimed are (do not state dollar amounts): Conscious
pain and suffering; wrongful detention; counsel fees; public ridicule and embarrassment as well
The undersigned Claimant therefore presents this claim for adjustment and payment. You
are hereby notified that unless it is adjusted and paid within the time provided by law from the
date of presentation to you, the Claimants intend to commence an action on this claim.
3
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INDIVIDUAL VERIFICATION
KATURIA D' AMATO, being duly sworn, depose and say that deponent is the claimant
in the within action; that he has read the foregoing Notice of Claim and know the contents
thereof; that the same is true to deponent's own knowledge, except as to the matters therein
stated to be alleged on information and belief, and that as to those matters deponents believe it to
be true.
------------------------------------------------------------------)(
-against-
Respondents.
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NASSAU COUNTY POLICE OFFICERS JOHN & JANE DOE "I" through "6"
1490 Franklin Avenue
Mineola, New York 11501
PLEASE TAKE NOTICE that the undersigned claimant hereby makes claim and demand
1
Case 2:19-cv-01398-JMA-ARL Document 1-1 Filed 03/11/19 Page 20 of 34 PageID #: 217
1. The name and post-office address of each claimant and claimant's attorney is:
2. The nature of the claim: False imprisonment; abuse of process; invasion of privacy;
defamation, defamation per se, libel, slander and a denial of state and federal civil rights.
On June 25, 2018 following a verbal dispute, not physical, with a neighbor, James Cash
of 53 Buxton Street, Lido Beach, New York, representatives from the Nassau County Police
Department responded to the scene located at 67 Buxton Street, Lido Beach, Nassau County,
New York. The neighbor apparently reported a verbal dispute to the Police Department. The
police arrived, together with private investigators and fonner United States Senator Alfonse
D' Amato, the claimant's estranged husband. Mr. Cash's wife is a Suffolk County Police Officer.
Upon information and belief, Mr. Cash called his wife and she then called the Nassau Police
Department. While no physical contact occurred, upon infonnation and belief, Mr. Cash and/or
the Nassau County Police Department notified Alfonse D' Amato. He and the Nassau County
Police Department have been charged in a prior Notice of Claim with wrongfully engineering a
"mentally aided" call of the claimant which caused the claimant to be falsely imprisoned from
September 30,2017 through October 2,2017 at South Nassau Communities Hospital. In this
prior claim it has been alleged that the Nassau County Police Department colluded with Alfonse
D' Amato to have Mrs. D' Amato taken from her home to South Nassau Communities Hospital
2
Case 2:19-cv-01398-JMA-ARL Document 1-1 Filed 03/11/19 Page 21 of 34 PageID #: 218
against her will in violation ofthe State's Mental Hygiene Law and claimant's civil rights.
On June 25, 2018 Mr. Cash who has one to two cameras pointed at the claimant's home,
approached the claimant's son, Alfonso and repeatedly stated to him at the time in words and
substance: "I am sorry that your mom is the way she is. She is so bad." Alfonso was on a public
sidewalk at the time and so was Mr. Cash. The claimant told Mr. Cash to "leave her son alone."
Alfonso and claimant's daughter, Luciana, were both fearful of Mr. Cash and concerned that
their mother would be arrested after they overheard the police threaten the arrest.
When the police arrived they came to the claimant's front steps and told the claimant that
she should allow them entry to the home. They did not have a warrant and given the claimant's
prior history in September, 2017, she elected not to let them into her home.
The police then told the claimant that she would be contacted by a Nassau Detective and
that she would be arrested for harassment unless she let them into her home and talked with
them. The claimant on June 26, 2018 has filed a complaint with the Nassau County District
Attorney against the police officers and the Nassau County Police Department for once again
wrongfully colluding with her husband to cause her to be falsely charged and arrested.
Among other things, the police threatened and tried to intimidate the claimant by stating
that she would be arrested if she did not allow them entry to her home. The police acted in an
ultra vires manner and attempted to gain entry to claimant's home under false pretenses and by
misstating the facts and the law when in fact the incident did not rise to the level of "harassment"
and Mr. Cash, his wife and Mr. D' Amato should have been investigated and charged with filing
3
Case 2:19-cv-01398-JMA-ARL Document 1-1 Filed 03/11/19 Page 22 of 34 PageID #: 219
Mr. D' Amato has continued to have the claimant falsely arrested, threatened, stalked and
harassed by the Nassau County Police Department and others. He illegally uses his political
power and influence over the Nassau County Police Department and others in order to gain a
tactical advantage against the claimant in a matrimonial and custody case pending in Nassau
County.
The respondents have caused the claimant to be assaulted by fear of apprehension in that
they remained outside her home for more than three hours blocking her exit and stating that she
would be arrested if she attempted to leave her home. The respondents invaded the claimant's
The respondents attempted to gain entry into the claimant's home without probable cause
and by creating a ruse that she would be "arrested" for harassment, a violation and not a crime.
The claimant, an attorney, has documented all of the respondents' misconduct together with that
of her husband.
The claimant has filed a complaint against the police, Mr. Cash and her husband
regarding the June 25,2018 incident. The claimant here filed a criminal complaint with the
Nassau District Attorney's Office on June 26,2018 against her husband, the police and Mr. Cash.
As a result the claimant has sustained compensatory, punitive damages and attorney's
3. The time when, the place where and the manner in which the claim arose: The
claimant was falsely detained by Nassau County Police Department on June 25,2018 at her
home located at 67 Buxton Street, Lido Beach, Nassau County, New York and forced to remain
4
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in her home under fear that she would be wrongfully arrested or that the police would come into
her home without a warrant as they had done in the past. Her children were terrified.
Detective Hernandez and Police Officers whose names are not yet known, improperly
charged the claimant without probable cause to believe that she committed any crime or violation
ofthe law, to wit: harassment. Detective Hernandez acted in concert with other Nassau County
Police personnel, former Senator Alfonse D' Amato and the complainant(s) on the underlying
harassment case as to embarrass the claimant in her ongoing custody and matrimonial case.
The respondents have deliberately advanced the return date for arraignment on the
appearance ticket issued to Mrs. D' Amato on July 11, 2018 for July 13, 2018 instead of 4-6
weeks hence which is the usual procedure. They have done so in order to embarrass her before
the media.
Their actions are a violation of the claimant's civil rights. She has been falsely and
wrongfully arrested, imprisoned, charged, defamed and needlessly embarrassed by the respondent
4. The items of damage or injuries claimed are (do not state dollar amounts): Conscious
pain and suffering; wrongful detention; counsel fees; public ridicule and embarrassment as well
as other physical and psychological injuries and damages to claimant and her young children yet
to be determined.
The undersigned Claimant therefore presents this claim for adjustment and payment. You
are hereby notified that unless it is adjusted and paid within the time provided by law from the
date of presentation to you, the Claimants intend to commence an action on this claim.
5
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~E~,~
July 18,2018
KA RIAD'AMATo
6
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INDIVIDUAL VERIFICATION
KATURlA D'AMATO, being duly sworn, depose and say that deponent is the claimant
in the within action; that he has read the foregoing Amended Notice of Claim and know the
contents thereof; that the same is true to deponent's own knowledge, except as to the matters
therein stated to be alleged on information and belief, and that as to those matters deponents
believe it to be true.
~~
(JOtary PUbic
Jt::.AN rM. LA G-aA5"ffl yost
l\lIOtary Pub-\Ic. State of Nell"
.No. 30-4669304
tmaItfted to N118SBU Cognty d 11/1'7
~ EJq;tl'e@ Oct. ~1. i?- V 0
Case 2:19-cv-01398-JMA-ARL Document 1-1 Filed 03/11/19 Page 26 of 34 PageID #: 223
------------------------------------------------------------------)(
NOTICE OF CLAIM
Claimant,
-against-
Respondent.
------------------------------------------------------------------)(
PLEASE TAKE NOTICE that the undersigned claimant hereby makes claim and demand
1. The name and post-office address of each claimant and claimant's attorney is:
2. The nature ofthe claim: False imprisonment; abuse of process; invasion ofprivacy;
defamation, defamation per se, libel, slander and a denial of state and federal civil rights.
The Respondent is a Suffolk County police officer residing with her husband, James Cash
at 53 Buxton Street, Lido Beach, New York, County of Nassau, State of New York. They are the
neighbors of Mrs. D' Amato, an attorney and the wife of Alfonse D' Amato, a former United
1
Case 2:19-cv-01398-JMA-ARL Document 1-1 Filed 03/11/19 Page 27 of 34 PageID #: 224
On June25, 2018 James and Catherine Cash filed a false police report against Katuria
D' Amato alleging Harassment in the Second Degree, a violation. They falsely claimed that Mrs.
D' Amato gave Mr. Cash a "chest bump". As a result of these patently false allegations Mrs.
D' Amato has had to retain counsel; go to the Fourth Precinct in Nassau County to pick up an
Appearance Ticket where she was placed in a holding cell and threatened with the application of
handcuffs if she did not keep her hands behind her back. She was then compelled to appear at an
arraignment where she was held up to public ridicule; embarrassed and defamed.
Upon information and belief, Mrs. Cash called and summoned Nassau County Police to
Buxton Street by stating that she is a Suffolk County Police Officer and that her husband was
being threatened with assault and battery by Mrs. D' Amato. These statements by her were
patently false and untrue. No assault or battery occurred or was threatened. Mrs. Cash abused
her title as a Suffolk Police Officer in an attempt to engineer the arrest of Mrs. D' Amato. This
was ultra vires and not in the performance of her official duties as a Suffolk County Police
Officer. Instead, she sought favoritism as a member of the "thin blue line" from her fellow
officers in Nassau. This was an abuse of authority and a violation of Mrs. D' Amato's State and
Upon information and beliefMr. & Mrs. Cash also called Mr. D' Amato to the scene.
They together with Mr. D' Amato, their friend and neighbor, sought the arrest of Mrs. D' Amato
and encouraged the Nassau Police to charge and arrest her. Some oftheir improper threats to
arrest Mrs. D' Amato occurred in the presence of Mrs. D' Amato's children and nanny who were
then fearful that Mrs. D' Amato would go to jailor be arrested. This also amounted to the
2
Case 2:19-cv-01398-JMA-ARL Document 1-1 Filed 03/11/19 Page 28 of 34 PageID #: 225
intentional infliction of emotional distress by Mr. & Mrs. Cash against Mrs. D' Amato and her
children.
3. The time when, the place where and the manner in which the claim arose: The
claimant was falsely detained by Nassau County Police Department on June 25,2018 at her
home located at 67 Buxton Street, Lido Beach, Nassau County, New York.
4. The items of damage or injuries claimed are (do not state dollar amounts): Conscious
pain and suffering; wrongful detention; abuse of process; malicious prosecution; defamation and
defamation per se; counsel fees; public ridicule and embarrassment as well as other physical and
psychological injuries and damages to claimant and her young children yet to be determined.
The undersigned Claimant therefore presents this claim for adjustment and payment. You
are hereby notified that unless it is adjusted and paid within the time provided by law from the
date of presentation to you, the Claimants intend to commence an action on this claim.
3
Case 2:19-cv-01398-JMA-ARL Document 1-1 Filed 03/11/19 Page 29 of 34 PageID #: 226
INDIVIDUAL VERIFICATION
KATURIA D'AMATO, being duly swom, depose and say that deponent is the claimant
in the within action; that he has read the foregoing Notice of Claim and know the contents
thereof; that the same is true to deponent's own knowledge, except as to the matters therein
stated to be alleged on information and belief, and that as to those matters deponents believe it to
be true.
30 th dayofJuly,2018 PJ "
-~'"""'''----'''--,t-f---,~=.j,~~
Case 2:19-cv-01398-JMA-ARL Document 1-1 Filed 03/11/19 Page 30 of 34 PageID #: 227
------------------------------------------------------------------)(
In the Matter ofthe Claim ofKATURIA D'AMATO,
NOTICE OF CLAIM
Claimant,
-against-
Respondents,
------------------------------------------------------------------)(
TO: COUNTY OF SUFFOLK
H. Lee Dennison Building
100 Veterans Memorial Highway
Hauppauge, New Y~rk 11788
PLEASE TAKE NOTICE that the undersigned claimant hereby makes claim and demand
1. The name and post-office address of each claimant and claimant's attorney is:
2. The nature of the claim: False imprisonment; abuse of process; invasion of privacy;
intentional infliction of emotional distress, defamation, defamation per se, libel, slander and a
The Respondent is a Suffolk County police officer residing with her husband, James Cash
at 53 Buxton Street, Lido Beach, New York, County ofN'assau, State of New York. They are the
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neighbors of Mrs. D' Amato, an attorney and the wife of Alfonse D' Amato, a former United
On June 25,2018 James and Catherine Cash filed a false police report against Katuria
D' Amato alleging Harassment in the Second Degree, a violation. They falsely claimed that Mrs.
D' Amato gave Mr. Cash a "chest bump". As a result ofthese patently false allegations Mrs.
D' Amato has had to retain counsel; go to the Fourth Precinct in Nassau County to pick up an
Appearance Ticket where she was placed in a holding cell and threatened with the application of
handcuffs if she did not keep her hands behind her back. She was then compelled to appear at an
arraignment where she was held up to public ridicule; embarrassed and defamed.
Upon information and belief, on June 25, 2018 Mrs. Cash called and summoned Nassau
County Police to Buxton Street by stating that she is a Suffolk County Police Officer and that her
husband was being threatened with assault and battery by Mrs. I)'Ainato. These statements by
her were patently false and untrue. No assault or battery occurred or was threatened. Mrs. Cash
abused her title as a Suffolk Police Officer in an attempt to engineer the arrest of Mrs. D' Amato.
This was ultra vires and not in the performance of her official duties as a Suffolk County Police
Officer. Instead, she sought favoritism as a member of the "thin blue line" from her fellow
officers in Nassau. This was an abuse of authority and a violation of Mrs. D' Amato's State and
Upon information and beliefMr. & Mrs. Cash also called Mr. D'Amato to the scene.
They together with Mr. D' Amato, their friend and neighbor, sought the arrest of MIs. D' Amato
and encouraged the Nassau Police to charge and arrest her. Some oftheir improper threats to
arrest Mrs. D' Amato occurred in the presence of Mrs. D' Amato's children and nanny who were
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then fearful that Mrs. D' Amato would go to jailor be arrested. This also amounted to the
intentional infliction of emotional distress by Mr. & Mrs. Cash against Mrs. D' Amato and her
children. This incident of June 25 th resulted in a Notice of Claim being filed against Mrs. Cash
and Suffolk County. A copy ofthat notice of claim is attached as Exhibit "A". Additional
notices of claim have been filed against the Nassau County Police Department and its officers
On July 31,2018 and August 10, 2018 Mrs. Cash once again filed a false police report
improperly using her title as a Suffolk County Police Officer in that regard and thereby causing
this claimant to be wrongfully prosecuted, arrested, charged with a crime, incarcerated and
defamed, all in violation of Mrs. D' Amato's civil rights under color oflaw. Mrs. Cash's actions
were ultra vires and initiated in complete derogation of claimant's Constitutional and civil rights
under both state and federal law. Mrs. Cash's actions show a pattern by her of violating both
3. The time when, the place where and the manner in which the claim arose: The
claimant was falsely detained by Nassau County Police Department on August 10, 2018 due to
Mrs. Cash's filing of a false police report on July 31,2018. Mr. & Mrs. Cash erroneously
obtained a Temporary Order of Protection (hereinafter TOP) on July16, 2018 arising out of the
June 25,2018 incident. This TOP was then abused by Mrs. Cash in causing the arrest of Mrs.
D' Amato pursuant to Nassau's "zero tolerance policy" with which Mrs. Cash is familiar as a
Suffolk County Police Officer. Mrs. Cash's actions caused Mrs. D'Amato to be handcuffed,
arrested, falsely imprisoned, defamed and charged all in violation of her First, Second, Fourth,
Fifth, Eighth and Fourteenth Amendment rights under the Federal Constitution.
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4. The items of damage or injuries claimed are (do not state dollar amounts): Conscious
pain and suffering; wrongful detention; abuse of process; malicious prosecution; abuse of
process; defamation and defamation per se; counsel fees; public ridicule and embarrassment as
well as other physical and psychological injuries, counsel fees, disbursements, pre and post
judgment interest and costs and damages to claimant and her young children yet to be
determined.
The undersigned Claimant therefore presents this claim for adjustment and payment. You
are hereby notified that unless it is adjusted and paid within the time provided by law from the
date of presentation to you, the Claimants intend to commence an action on this claim.
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INDIVIDUAL VERIFICATION
KATURIA D'AMATO, being duly sworn, depose and say that deponent is the claimant
in the within action; that he has read the foregoing Notice of Claim and know the contents
thereof; that the same is true to deponent's own knowledge, except as to the matters therein
stated to be alleged on information and belief, and that as to those matters deponents believe it to
be true.