Documente Academic
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Documente Cultură
Michael R. Kelly )
Claimant )
No:____________________
Vs. )
)
Rick Hilton; )
Richard Hilton; )
Paris Hilton )
William Barron Hilton of: )
Hilton Hotel(s) )
Hilton Headshop )
President George W. Bush )
Vice-President Joseph Biden )
Attorney General )
John Ash croft )
)
)
_________________________________________________________________________
Claimant, Michael R. Kelly, Comes now with complaint for damages against said
defendant(s) Rick Hilton, Richard Hilton, Paris Hilton, William Baron Hilton, 2008
President George W. Bush, Vice-President Joseph Biden, Attorney General John
Ashcroft, and respectfully and Before the Department of Education, Office of
Civil Rights.
I.
A. JURISDICTION.
1. This Action is brought pursuant to the Federal Torts Claim Act. 2(a) U.S.C
Sections 2671 through 2680; 28 U.S.C. Section 1346(b)18U.S.C. Section 1964;42
U.S.C. Sections 1983 and 1988,Protection of Human Rights Act, the Convention
Against Torture and Cruel and Inhumane or Degrading Treatment or Punishment of
June 26,1987 and as amended thereafter; the Hague Convention ;42U.S.C.Section
1981;42U.S.C. 1982,1983,1985, and 1986 of 42U.S.C.Section 1988[Prosedeeings of
Vindication of Civil Rights],of said Title IX of Public Law 92-318{2U.S.C.(a)
Section 1681 et. Seq.),the Religious Freedom Restoration Act of 1993 [42U.S.C.
Section 2000 (b)(b),et seq.] Title VI of the Civil Rights Act of 1964 [42U.S.C.
Section 2000 (d) et. Seq.] Including Section 13981 and said Title, the Court in
its discretion may allow the prevailing party, other than the United States , a
reasonable attorneys fee as part of the cost. Also under the Courts jurisdiction
as part of the cost award in its discretion ,in awarding fees under
42U.S.C.Section 1988 (b) and
(c) in any action or proceeding to enforce a provision of Section 1981 or 1981 (a)
of said Title, the Court, in its discretion, may include expert fees in addition
to the attorneys fees after it orders an expert(s) as provided under Federal Rules
of Civil Procedure set forth infra.
B.VENUE.
Venue is proper in this Court pursuant to 18 U.S.C. Section 1965,(a) defendants
reside, are found, operate under authority or office, have an agent, or are
connected with or related to the afore said, or transact affairs in this district.
Venue is also proper in this Court pursuant to 18 U.S.C. Section 1965 (b) because,
to the extent any Defendant may reside outside this district, the ends of justice
require such Defendant(s) to be brought before the Court. Venue properly lies in
this Court pursuant to 28 U.S.C. Section 1391 (b)(2) or
Alternatively pursuant to 28 U.S.C. Section 1391 (a)(2).Further, certain of the
conspiratorial acts alleged herein took place and continue to take place within
this judicial district. Any and or all the Does 1-10 who are employed with
,contracted with and connected to Defendant USA, or the judicial system can be
compelled through order and/or subpoena power of this Federal court to be
subjected to discovery or otherwise appear before the Court under Federal Law,
executive order, or the Code of Federal Regulations or other process.C.
Claimant Kelly has complied with all administrative prerequisites to action under
Section 706 of Title VII of the Civil Rights Act of 1964, as amended, 42 U.S.C.
Sections 2000e-
Claimant Kelly files this formal charge of Discrimination and Cruel and Inhumane
Punishment, RFID laws and R.I.C.O. with the State of Missouri.
Claimant Kelly has exhausted all available administrative remedies in accord with
the aforementioned statutes prior to instituting this Complaint and Defendant(s)
fail to comply. Claimant Kelly formally requests a Notice of Complaint and the
Right to Sue, No administrative prerequisites are required before Claimant files a
Complaint to the Civil Rights Act of 1866, as amended by Civil Rights Restoration
Act of 1991, 42 U.S.C. Section 1981.
II.PARTIES.
3.
(a) Defendant Rick Hilton of Hilton Hotels and Hilton Headshop
(b) Defendant Richard Hilton of Hilton Hotels
(c) Defendant Paris Hilton
(d) Defendant George W. Bush
(e) Defendant Vice-President Joseph Biden
(f) Defendant Attorney General John Ashcroft
4. The Defendant(s) U.S.A Vice President Joseph Biden and President George W.
Bush, pursuant to the United States Constitution, Article I,II,and III,
establishes the legislative powers, executive power and the power of the United
States respectively. Claimant alleges under the Constitution that defendant Rick
Hilton and entity under his own personal gain to establish a Government Grant of
Science for the purpose to unlawfully torture said Claimant with said Tag. Under
the Right to Know Act 2003, 15 U.S.C. 1453 Ch. 94 Section 6. Amendments to Title
15,CH. 94--Privacy is amended (1) by inserting the following under Subchapter II.
Subchapter III. Aggregation of Non-public Personal Information and Radio Frequency
Identification Tag Identification Information 6831, Privacy Protection for
Consumers. (a) (1) A Business shall not combine or link an individuals nonpublic
personal information with RFID tag identification, beyond what is required to
manage inventory.(2) A business shall not, directly or through an affiliate,
disclose to an nonaffiliated third party an individuals nonpublic information
personal information in association with RFID tag identification information.(3) A
business shall not, directly or through an affiliate or nonaffiliated third party,
use RFID tag identification information to identify an
individual.(b)(1),(2),(3)and (4), regulates the TAG, RFID illegal Neurochip,
Microchip implant for illegal surveillance, Privacy Act, illegal use of such
device.and unauthorized access to personal records and personal information.
8. The Defendant posses additional duties and authority that has been conferred
to him by said compliance with Federal Law.
9. Wherein the areas of their compliancy and jurisdiction, Defendant of the United
States of America through its Federal Judicial System and State counterparts have
legal duty and responsibility to provide Claimant Kelly to exercise his procedural
and substantive due process right to have access, objectiveness, impartiality and
fairness by and through the judicial system and protect his use of judicial system
without the court engaging in or engaging in corruption , unfairness, lack of
objectivity or impartiality, favoritism all in a matter equating to or giving the
appearance of obstruction of justice and tampering for the purpose to protect
Defendant Rick Hilton using influential government figures to protect him.
Government figures as Vice-President Joseph Biden, and George W. Bush, and
Missouri Attorney General John Ashcroft. They had obstructed justice when Claimant
Kelly called the FBI Federal Bureau of Investigation. Also to prevent the
interference ,obstruction or loss of Claimant Kelly right to a jury trail on
ultimate facts supported by reasonable evidence and protection of his rights of
due process and equal protection through such access and use of judicial system as
a witness.
11. Claimant Kelly makes the following allegations on his information and belief
and on those grounds.
I. INTRODUCTION
STATEMENT OF CLAIM.
Claimant Kelly alleges:
11. Rick Hilton co-owner of Hilton Hotels and working out of WASHU
responsible for this Complaint and cause of action, and damages arises
Kelly without pay for and to obtain a United States Grant for Science
suffering..
13. Rick Hilton has been Illegally surveillance and wire tapping Michael R.
Kelly since March 3rd.2008, thru and to the present twenty-four hours a
day.
II. RESIDENCE:
Claimant Kelly alleges:
14. Rick Hilton is the owner and co-maker of Hilton Hotels and is a
resident of the United States of America, and the United States Patient
16. Rick Hilton performed neural brain surgery on and operated on without
him and Dr. Strefano Girardi to operate on Claimant Kelly during an MRI:
To take MRI Magnetic Resonance Images of the Tag, neural brain implant
Allegations:
Residence:
Claimant Kelly alleges:
October,2nd.2000.
20. Defendant Rick Hilton refuses to turn off Tag, RFID Radio
Frequency
And allegedly claims that the United States Government Grant officer Defendant
patients, not to cut open their brain and kill the patient(s) subjects.
Hilton stated “Chronic Brain Cultivation means they killed the patient subject,
by
scareing them the neuronons go into and or on the Tag, Neurochip Microchip
Brain
Implant they murdered patients to re-cultivate the neurochip brain implant. The
Defendant Rick Hilton tolClaimant Kelly that he personally via two way
communication has thright murder patients from “Dr. Tom Hilton” and the United
States Government Grant Program.. Claimant Kelly respectfully requests that Rick
Hilton turn over all Grant(s) as stated so in this Complaint under the Challenge
Grant Hilton Neurochip Project Documents for Discovery, evidence and forensic
evaluation , patients and or subject(s) whom are and or where involved with the
project, deceased (murdered) cases re-opened Conspiracy to commit murder and /or
a
Defendant Rick Hilton refers to Claimant Kelly as his monkey for inhumane
Kelly, and is trying to convince him to plea guilty to false charges so he can
kill him by
cutting a two by two inch square out of his skull. That is the rules that the
Government
No: 5517600
(c) the allegations and statements made are an exemption under the
heresay
22. Defendant Rick Hilton and hired employees Robert Wayne Smith of South
County
St. Louis, Missouri, Wilburn Lee Hefley of South St. Louis, Missouri, and
Broadcasting Network, at $400 dollars per hour, and that they were hired to
aid in
Smith’s and Kimberley Clare Smith’s two year old naked son to try to get me
to think of molesting them , raping Comedian Fran Drescher, killing Union
responsible for 911 and know Osama Bin Ladin, also wants to use my son
Nicholas Ryan Kelly and put the Neurochip Tag in his brain to brainwash him
just for
revenge because I’m filing a lawsuit he said that he was going to put him in
his grant
poses an IDE bomb and how to make one they said you have to pack the gun powder
with a press, tried to kill George Bush Senior in 1994, Also Defendant Hilton
stated
that he is going to pay off Federal Judges using also had investor Vice-
President
Joseph Biden call the FBI (Federal Bureau of Investigations) and had them
refuse to
investigate my complaint and that what I say that it was a hoax. Defendant Rick
Hilton’s employee(s) The computer reads neurosignals that appear red and blue,
redis
allegedly means that your telling the truth and blue means that your lying,
although it is
names and different explanations and seen that the neurochip science was
incomplete
with errors; turn the gain (blue side of the brain) to the left to say that
Claimant Kelly is
lying,
23. The Defendant Rick Hilton stated that there are forty-six
Investors involved
in U.S. Grant No:7209788, each investor contributed $1,000
dollars to get a
Hilton and Defendant Paris Hilton split the rest of the Grant
money.
recieves and sends visual and hearing signals via communication between
the
command] via electrical signals directly to the subjects brain through the
implantable
and the motor command can communicate wirelessly between the patient subject
and
the computer. Defendant Hilton has been using this Devise to give me
artifical
year olds penis and describing what it tastes like (he said it tastes like a
potato
chip and kind of rubbery they have also trained my mind to feel artificially
by
Hilton broke and entered into Claimant Kelly’s home in Potosi, Missouri
without
a warrant as they told Claimant Kelly’s neighbors that they were the DEA Drug
Enforcement Agency and that they were investigating him for drug trafficking
and use, and stole several photographs of his family and he’s making pictures
of
naked children to frame Claimant Kelly with inwhich they are making and then
stating that these are Claimant Kellys which they allegedly stole or
confiscated. .
(c) The communication between the tag,neurochip and the motor command extraction,
area network M1 primary motor cortex NMAP many neuron acquistion processor
Pmd
dorsal premotor cortex PP posterior parietal cortex RMS root mean square SRAM
(d) Tag microchip is wireless. The closed loop brain-machine interface that
employs
Brain -derived signals and is advance beyond prior art apparatuses BCI brain
computer
communication between the patient and technician talking, and relaying video
signals
through the computer, much like the internet communication devices between
two
Micro-sized parts and IC, which are used in-vivo (human or primate tolerant
which can
be put in the brain) and have sensors and actuators that are mechanical
devices that
vivo receive neuron signals in-vivo by inserting micro neuron probes into the
brain via
are read by the motor command center, the data TCP/IP Transmission total
(f) Before Defendant Hilton started using Human Patients, he was using Primates,
the Defendant Stated” well pay off court witnesses $10,000 dollars each.
Defendant Hilton stated” that they were DEA, agents to Claimant Kelly’s
neighbors in
III. CONCLUSION.
REMEDIES
(26) Claimant Kelly further alleges that Defendant Hilton did use electronic
implants to
purpose to limit, control and stop this lawsuit by executive means using
George W.
Bush and Vice-President Joseph Biden, Donald Rumsfeld, and Attorney General
John
Investigations.
(27) Claimant Kelly alleges that his life was threatened and that he was tortured
and brain
son Nicholas Ryan Kelly and daughter Brittany Morgan Kelly lifes were
threatened by
in this head and brain wash and torture them because Claimant Kelly is filing
this
lawsuit.These threats were done remotely and electronically so they could and
would be
denied by the Government and corrupt judges that protect Defendant Rick Hilton
and
corrupt agents in the Government under Vice-President Joseph Biden and George
W.
Bush that work under their direction of his appointees.This outrageous conduct
of
Defendant Rick Hilton continues even today since March 3rd. 2008, thru and to
the
present and Defendant Rick Hilton uses these Government authorities to torture,
(28) As Direct and proximate cause of Claimant Kelly’s loss of trust in the
Federal
Defendant Rick Hilton. Claimant Kelly has been deprived of his standard of
living
desired by him and lead a happy and satisfying life and family life and his
privacy, due
process, peace and right of association provided by Claimant Kelly’s family and
his
friends. And has further deprived of and loss of benefit of his family and
friends
trust in the Government, and further Claimant Kelly Claimant Kelly incurred
medical
and other personal effects stolen from him (family photos) on information and
belief on
those grounds.
(29) As further direct and proximate cause of the acts and conduct of the
Defendants,
Believes Defendant Rick Hilton and the other Defendants failed to use reasonable
care
and reckless and negligent selection, hiring and said police officer(s) Neno and
(30) The United States of America and Vice-President Joseph Biden and George W.
Bush
had a duty to protect and prevent the violation of Claimant Kelly’s federal and
State
Constitutional Rights, and further to protect Claimant Kelly from dangers and
(31) Defendant Rick Hilton and the United States of America and Vice -President
Joseph
Biden and George W. Bush had a common law and statutory duty to protect
Claimant
Kelly pursuant to the Constitution of the United States of America and the
Federal
(32) In addition to liability imposed on Defendant Hilton and the United States
of
America due to its respective breach of duty common law and statutory duties
and
torturous acts. The United States of America and Vice -President Joseph Biden
and
(33) Defendant Rick Hilton was reckless and negligent and failed to exercise
reasonable
care in both its common law and statutory duty to protect Claimant Kelly.
to comply with a Court Order. A Municipal entity or Public Offical who does not
penalties of $500 Dollars per day until public record is provided by Defendant
Rick
Hilton. This Court may impose Sanctions 2. Bad Faith Denial. A Court may impose
a
Civil Penalty of not more than $1,500 if a Municipal entity denied access to
public
(34) The United States of America was reckless and negligent and failed to
exercise
reasonable care in both common law and statutory duty to protect Claimant
Kelly’s
(35) From March 3rd.,2008 and continuing thereafter to present, the Defendant(s)
and
(36) From March 2008, and continuing thereafter to the present, Defendant Hilton
and
the United States of America, and their respective agents, police officer(s)
and
Defendant Rick Hiltons employees had a duty under the Forth and Fourteenth
rights. Each and all of the afore said Defendants did not provide adequate
protection
(37) From March 2008 and continuing thereafter to present, Defendants and each of
them
pain and suffering. They failed to remove the torture device(s) from Claimant
Kelly’s
(38) The Defendant Rick Hilton and the United States of America, and each of the
civil rights on grounds that Defendant Rick Hilton and the United States of
America
and personal rights and safety of public guaranteed under Federal Rules and
and provisions of care to Claimant, who has been psychologically and physically
injured from such unlawful conduct. The Vice-President, Joseph Biden and
President
George W. Bush have disregard for the Claimants Constitutional Rights and
safety of
the denial and violation of Claimant’s and other personal rights within its
jurisdiction,
stop on the grounds that the violation of rights and deliberate indifference
with
privacy, violation of Claimants rights to due process, Claimant has and will
continue to
suffer significant grief, sorrow, shock, depression, pain and suffering, both
psychological and emotional, humiliation and other general damages for which he
is
First, Second, Fourth, Seventh, Ninth and Fourteenth amendments; (a) freedom
from
the use of unreasonable and excessive force; (b) freedom from the deprivation
of life a
and liberty without due process; (c) freedom to be secure in his person; (d)
freedom
from the unnecessary and wonton infliction of pain and suffering; (e) freedom
from the
equal protection under the law; and (g) freedom of his personal papers, effects
and
things from government intrusion and (h) freedom to have right to privacy.
(41) As a result of foresaid actions of Defendant Rick Hilton and the United
States of
Hilton’s employee(s) agents and officers, being a citizen of the United States
of
America and a resident of the State of Missouri, Claimant Kelly was and
continues to
violated, he has and continues to suffer physical, mental and emotional harm,
anxiety,
durness ,fear, and humiliation, torture and general pain and suffering in, on
and upon
investigation and other fees pursuant to 42 U.S.C. 1988, however not limited
thereto
(43) To the extent available under Federal Law, Claimant Kelly is entitled to
recover
Punitive Damages in the amount sufficient to punish the Defendant (s) and
individual(s)
and Defendant Vice-President Joseph Biden and George W. Bush and Defendant Rick
amount according to proof under Federal Law, 150 Anz. 326 (1986). Claimant
leaves
(b) Defendant Rick Hilton was told by the United States Government to compensate
all
(44) WHEREFORE, Claimant prays for judgment against Defendants and each of them,
individually; jointly and severally as follows:
1. For all compensatory damages for pain and suffering, ect. In the amount of $20
Million Dollars or according to proof.
2. For all costs of suit, including attorney fees, investigators, and other fees
and costs pursuant to 42 U.S.C. 1988 or/ and the Private Attorney General Act or
according to proof.
3. For all special damages in the amount of $40 Million Dollars according to
proof.
4. For all treble damages based on compensatory damages per RICO statute
according to proof.
6. The Court is hereby demanded to make specific findings of fact and conclusion
of
law, pursuant to Federal Code of Civil Procedures, Rule 52, on each and all issues
Of specific and ultimate facts raised in this Complaint, Claimant hereby reserves
the right to amend all paragraphs. [This demand shall constitute a continuing
demand and shall not be deemed waived unless specially done so by Claimant in
writing in a separately filed pleading with the court entitiled “Notice of waiver
of Finding of Fact and Conclusion” notarized.
8. For all such other further relief as the Court deems just, fair and proper
under the circumstances.
Date:_______________________
Michael R. Kelly
4550 Sky-View Dr.
Arnold, Mo. 63010
PH# (636)296-819 CELL# (314)723-4249
Plaintiff
Rick Hilton (of Hilton Hotels and Hilton Headshop and Hyland Real Estate of
Beverly Hills California)
Los Angels California
Whispering Willows
Ph# (310)278-3311
Hilton Head Island;
35 DeAllyon Drive
29938, Hilton Head Island, SC,USA
PH#800-504-8823
Office: 617-583-1122 Fax: 617-583-1298
E-Mail: villa rentals@spinnakerresorts.com
And: William Baron Hilton, Richard Hilton (of Hilton Hotels), Paris Hilton