Gastapo Team: Judge Sosin, Comm Gilroy And Their Staff 13may2009

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THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF INDIANA Kay Kim, Plaintiff,

) ) v. ) ) VEC HOA (Village at Eagle Creek ) Home Owner’s Association) ) Judge Theodore M Sosin, the Court Staff & ) Commissioner Richard Gilroy ) Northwest District Prosecutor(s) ) Officers Melvin Clayton & his Partner ) Officer Ryan J. Romeril ) State of Indiana Attorney General, et al. ) Defendants. )

Cause No. 1:08-cv-1644-SEB-DML

NOTICE OF ADDENDUM 1 AS TO DKT#111 TO THE COMPLAINT IN CONJUNCTION WITH CMP DKT#120 I, Plaintiff, Kay Kim, Pro Se filed her Notice of Addendum 1 as to dkt#111 on this 13th day of May, 2009 as follows: 1. As per at the initial pretrial conference on May 12, 2009, at 1:30 p.m. (RECODED SESSION), I, Plaintiff, Kay Kim notified the court in writing that dkt111-Notice of Joinder of Required Parties Defendant State of Indiana: party1- Judge Theodore m. Sosin and his court staff and party2- Arresting Officers filed on April 3, 2009 as an Addendum 1 to the Complaint in conjunction with dkt#120-CMP by Kay Kim. 2. Further, at the conference, Defense counsel, Nicole R. Kelsey’s claim that the Judge Theodore M. Sosin has not been served is overly done lie as follows: (a) (b) (c) resolve the waited over a

Summon was Issued and dkt#112 on April 3, 2009. Return of Service was filed dkt#114 on April 6, 2009. If the Defense counsel was contacted and knew about the serve has not been made, why didn’t she contact the Plaintiff, Kay Kim to matter; since, the court docket shows otherwise. Why month and bring it up only at the hearing.

3. At the conference, Mag Judge Debra McVicker Lynch’s steering the direction of the specified matter as to Plaintiff’s intended Notice-dkt#111 as a motion was less than judicial. Further, Mag Judge Debra McVicker Lynch prejudged the matter by her own accounts. Page 1 of 3 FED1 ADDENDUM-1 to Complaint of D#111-Judge Sosin&staff as Joinder of required parties 13MAY2009

(a) (b) (c)

Rule 19 was not properly used and I, Plaintiff need court’s approval. Facts and Legal base is insufficient. “I’m going to treat as a motion and you don’t have to do anything.

4. I, Plaintiff, Kay Kim, Pro Se, totally disagree with Mag Judge’s prejudged opinion and strongly object to her “wish” to change status of Plaintiff’s filing from Notice to motion. FOR THE RECORD, I, Plaintiff, Kay Kim, Pro Se notifying the Court as to dkt#111Notice of Joinder of Required Parties Defendant State of Indiana as an ADDENDUM 1 to the Complaint in conjunction with CMP. Further, Plaintiff respectfully objects in the strongest term there is that the Court not to change the status of Plaintiff’s own filing with wrong assumption; such as Notice to a motion and not limited to. Respectfully submitted, Dated: May 13, 2009

/s/ kay kim Kay Kim, Pro se

DISTRIBUTION: Chief Judge David F. Hamilton; Judge Larry J. McKinney; Judge Sarah Evans Barker. CERTIFICATE OF SERVICE I do hereby certify that a copy of the foregoing to the counsels & defendant(s) were delivered either by first class U.S. Mail, postage prepaid or personally to the defendants on or no later than May 20, 2009: Kathy Bradley Deputy Attorney General State of Indiana Attorney General Office of Attorney General, Indiana Government Center South, Fifth floor 302 West Washington St., Indianapolis, IN 46204 T# (317) 234-2968 / F# (317) 232-7979, [email protected] Nicole R. Kelsey Assistant Corp. Counsel, Office of Corporation Counsel 200 East Washington St., Room 1601 Indianapolis, IN 46204 T# (317) 327-4055 / F# (317) 327-3968 / E-mail: [email protected] Jonathan L. Mayes Chief Litigation Counsel Office of Corporation Counsel 200 East Washington St., Room 1601 Indianapolis, IN 46204 T# (317) 327-4055 / F# (317) 327-3968E-mail: [email protected] Page 2 of 3 FED1 ADDENDUM-1 to Complaint of D#111-Judge Sosin&staff as Joinder of required parties 13MAY2009

James Edgar Attorney, J. Edgar Law Office, Prof. Corp., 1512 N. Delaware Street Indianapolis, IN 46202 Pho# (317) 472-4000 / Fax# (317) 472-0640 / em: [email protected] Village at Eagle Creek Home Association 7225 Village Parkway Drive, Indianapolis, IN 46254 Phone (317) 291-4916, E-mail - [email protected] Susan Sclipcea & Charles Ritter 4250 Village Pkwy c.e. unit 5, Indianapolis., IN 46254 ____________________ Kay Kim, Pro Se-Plaintiff 4250 Village Pkwy c e apt. 2 Indpls., IN 46254, Ph# 317-641-5977 e-mail: [email protected]

Page 3 of 3 FED1 ADDENDUM-1 to Complaint of D#111-Judge Sosin&staff as Joinder of required parties 13MAY2009

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