Professional Documents
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RO IN CLERKS OFnCE
U .s .a.c. A :ia nc a
v )FILE NO . : 1 :06-cv-2954WSD
}
STATE OF GEORGIA, et al ., )
DEKALB COUNTY et al ., )
LT. HUGHETT Official & Individually )
D OARLOCK Official & Individually )
OFFICER PORTER Official & Individually)
STATE COURT OF GEORGIA; )
DEKALB COUNTY SOLICITOR'S )
OFFICE; )
JANE DOE 0. ~
JOHN DOE 01-100 ; }
Defendants }
COMES NOW Pro-Se Plaintiff James B . Stegeman and files his Petition
presented to The Federal Grand Jury and request an investigation into federal
The defendants cannot and have not tried to refute the overwhelming
documented evidence and allegations against them . Some defendants have gone so
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far as to hypothesize that the Plaintiff is to blame for the events that took place
while offering none of the needed supporting evidence to refute Plaintiff's claims .
To date the defendants hide behind claims that statute of limitations has run out
There has been no denial that the acts were criminal acts as Plaintiff has
alleged, instead the defendants depend upon theoretical immunities which under
For the above stated reasons and reasons stated in the following In Support
of Plaintiff s Petition, Plaintiff MOVES this Honorable Court for permission and
assistance .
Plaintiff tried to have DeKalb County District Attorneys Office and The
State of Georgia look at his evidence and investigate his allegations, Plaintiff's
pleas fell upon blind eyes and deaf ears after seeing that the allegations involved
The value of the lives of the less fortunate, socially and economically under-
privileged disabled and elderly citizens within the State of Georgia are deemed to
be less valuable than the lives of the ones who committed these crimes .
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ia Department of Resources
The Georgia
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..
The Petition Clause protects people's rights to make their wishes and
executive branches .
designed to encourage citizens to report crimes and to guard against the possibility
of government corruption .
18 U.S.C. s 3332(a) .
Section 3332 says on its face that the U .S . Attorney "shall" present to
the grand jury information provided by "any person," and one district
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court has held that any person has standing to enforce this duty . See
In re Grand J Application, 617 F. Su .199 (S.D.N.Y. 1985
(granting mandamus to enforce s 3332 ); see also Simpson, 902 F .
Swap . at 254 (dictum) .
The facts clearly show that felonious crimes have been committed by the
very entities that are to protect citizens and uphold the law . This cannot be
tolerated. The citizens of The United States must be shown that statutes, rules,
regulations are applicable to all ; that one's position in society does not grant them
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Plaintiff realizes it is not quite the same thing, but the following phrases holds true
to the matter at hand or any matter where legal authorities are breaking the laws :
observe the law scrupulously. Our Government is the potent, the omnipresent
teacher . For good or for ill, it teaches the whole people by its example . Crime is
it invites every man to become a law unto himself; it invites anarchy ."
V. FACTS
The Plaintiff has shown these facts : the defendants : conspired ; violated their
Oaths of Office; violated the Civil and Constitutional Rights of a "Disabled Adult"
incompetent adult driven by greed, retaliation and moral turpitude . The belief was
that the elderly incompetent adult had investments worth over $600,000, they were
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The total disregard for the law, lack of concern for the disabled, and the
turpitude .
CONCLUSION
The criminal acts were too easily accomplished and covered up with no fear
of retribution, this is obviously not the first time these predators have preyed upon
those who are less fortunate . Research, observations, responses complaints filed,
indicate that similar situations have happened before and will happen again . God
help us all . When we grow old we expect and believe that the law and those who
control the law will protect us not abuse, exploit and take advantage of us .
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This is a matter of great importance and public interest . The laws of The
United States and The State of Georgia dictate that these acts are crimes and
mandate that these criminals must be stopped and punished . We will all grow old,
some of us will have family living that will be there for them when the time comes,
This type of predator must be stopped . In this particular case, a loving and
caring family put up a long drawn out fight attempting to stop these predators .
This loving caring family learned that these predators, use the legal system, abuse
their positions to prey upon the less fortunate and will not stop on their own, they
The Plaintiff in this Civil Action MOVES this Honorable Court for
permission and assistance in having evidence presented before the Federal Grand
Jury and the request of an investigation into the criminal activities against the
Plaintiff for the sake of every person who w ill grow old.
For your Honor 's convenience, Plaintiff has attached hereto an outline of the
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CE RTIFICATE OF COMPLIANCE
In compliance with LR 7. ID, N.D. Ga., I certify that the foregoing Petition
has been prepared in conformity with LR 5 .1, N.D. GA. This Petition was
prepared with Times New Roman (14 point) type, with a top margin of one and
one-half (1 .5") inches and a left margin of one (1") inch, is proportionately spaced .
(770) 87 9- 8737
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CERTIFICATE OF SERVICE
I hereby certify that a copy of the foregoing was mailed to the defendants
through their attorney on record by causing a true and correct copy of same, to be
deposited into The United States Postal Service, proper postage affixed as follows :
Matthew R . LaValle
Daley, Koster & LaValle, LLC
Overlook 1
2849 Paces Ferry Rd., Suite 160
Atlanta, GA 30339
Mr. Carothers
278 West Main St
Buford, GA 30518
Brenda. A. Raspberry or
Terri N. Cordon
DeKalb County Law Department
1300 Commerce Drive, 5th Floor
Decatur, GA 30030
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