This came registered in the mail today, Aug. 17. Oddly it was mailed
out of LA spite of this lawyer being located in Hemet. Hmm. Notice
also that it is to be held before a commissioner instead of a real
judge. My bet is that none of the rest of the judges would deal with
this case. (Spanish boiler plate cut or moved to bottom)
If someone with a bit more time than I have would like to research the
lawyer and court commissioner, I would appreciate it.
Lets see.
Henson 1, RTC copyright, 2 the case filed in Riverside I was never
served with, 3 Barton, 4 Barton criminal, 5 Hoden (Riverside) 6 Jones
(CW), 7 bankruptcy objection, 8 Hemet criminal (picketing), 9 the CW
13 case, 10 the Canadian charges, 11 this one. I might have the order
out of place or missed one or two.
I still have quite a ways to catch up to Paulette Cooper's record.
Keith Henson
**********************
SUMMONS
(CITACION JUDICIAL) [Spanish not corrected from OCR]
ORIGINAL
NOTICE TO DEFENDANT: (Aviso a Acusado)
H. KEITH HENSON,
YOU ARE BEING SUED BY PLAINTIFF:
(A Ud. la asti damandancio)
HILARY DEZOTELL, KEN HODEN, and BRUCE WAGONER
FOR COURT USE ONLY
(SOLO mm I/so oe LA COHTE) [blank box]
You hava 30 CALENDAR DAYS after this
summons Is served on you to file a typewritten
response at this court.
A letter or phone call will not protect you; your
typewritten response must be In proper legal form
If you want the court to hear your case.
If you do not file your response on time, you may
lose the case, and your wages, money and
property may be taken without further warning
from the court.
There are other legal requirements. You may want
to call an attorney right away. If you do not know
an attorney, you may call an attorney referral
service or alegal aid office (listed In the phone
book).
The name and address of the court Is: (El nombra y cHraccl6n da la
corta as)
SUPERIOR COURT OF CALIFORNIA
880 NORTH STATE STREET
HEMET, CA 92543
HEMET - CIVIL
CASE NUMBER (AMmero M Ca«>) 009673
The name, address, and telephone number of plaintiffs attorney, or
plaintiff without an attorney, Is:
GILBERT Y. NISHINO, ESQ. SB#l00036 (909) 929-4563 (909)
658-6565
LAW OFFICE OF GILBERT Y. NISHINO
910 E. FLORIDA AVENUE
SUITE C-2
HEMET, CA 92543
DATE: (Fecha) Jul 30 2001 Clerk (Actuario), by [signature, El- M-],
Deputy (Delegado)
(Seal) [ of the Superior Court of California, County of Riverside
Gilbert Y. Nishino, SBN 100036
ATTORNEY AT LAW
910 East Florida Ave.. Suite C-2
Hemet, California 92543
Telephone: (909) 925-3341
Telecopier: (909) 929-4563
Attorneys for Plaintiffs]
]
HILLARY DEZOTELL, KEN HODEN
and BRUCE WAGONER
FILED
SUPERIOR COURT OF CALIFORNIA
COUNTY OF RIVERSIDE
JUL 30 2001
Date Time Dept.
NES 10-87 8:00 HS
Status Conf. 1/28/02 1:30 HS
SUPERIOR COURT OFCALIFORNIA
COUNTY OF RIVERSIDE
(Hemet)
CASE NO. 009673
HILLARY DEZOTELL, KEN
HODEN, and BRUCE WAGONER,
Plaintiffs.
H. KEITH HENSON,
Defendant.
COMPLAINT FOR:
(1) VIOLATION OF CIVIL RIGHTS
[C.C. §52.1]
(2) INTENTIONAL INFLICTION
OF EMOTIONAL DISTRESS
(3) NEGLIGENT INFLICTION OF
EMOTIONAL DISTRESS
Plaintiffs Hillary Dezotell, Ken Hoden, and Bruce Wagoner
("PIaintiffs") by and through their attorney, Gilbert Y. Nishino,
allege as follows:
PARTIES
1. The evente, transactions and occurences referred to in this
Complaint occured within the State of Califomia, County of Riverside.
2. Plaintiff Hillaiy Dezotell ("Dezotell") is an individual who, at
all relevant times, was and is a resident of Riverside County,
California.
3. Plaintiff Ken Hoden ("Hoden") is an individual who, at all relevant
times, was and is a resident of Riverside County, California.
4. Plaintiff Bruce Wagoner ("Wagoner") is an individual who, at all
relevant
-1-
COMPLAINT
[end of p. 1]
times, was and is a resident of Riverside County, California.
5. Defendant H. Keith Henson ("Defendant) is a California
resident whose principal residence is in Palo Alto, California.
FACTS COMMON TO ALL COUNTS
6. Dezotell, Hoden, and Wagoner are each parishioners of
the Scientology religion and are members of a Scientology religious
order who have dedicated their lives to helping others through
application and dissemination of Scientology religious tenets and
scriptures. Each lives in Riverside County, and works at a Scientology
religious facility located in Riverside County several miles from
their residences. The religious facility is called Golden Era
Produotions and each of the Plaintiffs is employed by Golden
Era Productioris, which is an unincorporated division of a California
not-for-profit religious corporation, qualified under 26 U.S.C. §
501(c)(3) as a tax-exempt Scientology church.
7. From approximately May 26, 2000 through and includmg
approximately September 3, 2000, Defendant engaged in anti-religious
conduct in violation of the civil rights of Plaintiffs in repeated,
planned, willful, and malicious acts of harassment, stalking,
threatening behavior, and other acts inspired by his hatred for
Scientology and scientologists.
8. Throughout that period, on repeated occasions, Henson followed
Plaintiffs from their homes to work and from work to their homes,
taking photographs and writing down license plate numbers, lurking
around theit residences and their Church employer’s facility, and
taunting and harassing them because of their religion. He stalked the
entrance to their Church with anti-Scientology signs that were
derogatory, menacing, and hate-filled.
9. Over time, Defendant's harassment and intimidation escalated
to the point of threats of violence such that Plaintiffs began taking
different routes from their homes their Church employer's facility and
reflised to go outside their residences and place of employment out of
fear of Defendant, while the Church had to hire security professioni
-2-
COMPLAINT
[end of p. 2]
for the protection of its staff.
10. Defendant's menacing and threatening conduct culminated when he,
along with a cohort, used a Global Petitioning System ("GPS") device
to plot the satellite coordinates of several buildings located at the
religious facility at which Plaintiffs work, calculating sufficient
coordinate information to launch an accurate missile strike on those
targets, and posting those coordinates to the Interoet, thereby
inciting others with the suggestion that just such a missile strike
might he made by using the coordinates he calculated.
11. The Riverside County Sheriffs Department conducted an
investigation into Defendant's conduct during which it learned, among
other things, what Plaintiffs already knew, l.e., that Defendant is a
self-proclaimed munitions and explosives expert with a three-decade
history of creating explosions allegedly for "recreation" thereby
making his threats all the more credible; that Henson was admittedly
doing what he was doing to cause fear and paranoia; that he was waging
"psychological warfare" against Scientologists, including Plaintliffs;
that his goal was to disrupt Plaintiffs "as much as possible"; and
that his entire purpose in harassing, intimidating, and threatening
Plaintiffs was to engage in the treachery of inflicting emotional
damage on his targets.
12. As a result of that investigation, Defendant was charged
by the Riverside County District Attorney's Office with various
violations of the California Penal Code relating to anti-religious,
hte crime motivated threats and conduct.
13. On April 26,2001, a Riverside County jury convicted
Defendant under Penal Code §422.6 for intimidating, threatening, and
oppressing Plaintiffs because of their religious beliefs.
14. On May 16,2001, defendant failed to appear at his sentencing
hearing as he had left the country. At that hearing, his counsel
confirmed to the Court that the defendant was in Canada.
15. On July 20, 2001, Riverside Superior Court Judge Robert
Wallerstein sentenced Defendant in absentia for his conviction under
California Penal Code § 422.6.
-3-
COMPLAINT
[end of page 3]
Defendant was sentenced to 365 days in County Jail with the sentence
suspended to 180 days on condition of three years probation during
which Defendant would be prohibited from approaching plaintiffs or
coming within 300 yards of Golden Era Productiona, the religious
facility where Plaintiffs work.
FIRST CAUSE OF ACTION
(Violation of Civil Rights under Civil Code §52.1)
16. Plaintiffs repeat, reallege, and incorporate herein by this
reference paragraphs I through 15, inclusive, of this Complaint as
though fully set forth herein.
17. As persons within the jurisdiction of this state, Plaintiffs are
lawfully entitled to be free from any violence or attempts at
violence, and any intimidation by threat of violence or attempts of
intimidation by threat of violence committed against them
because of their religion.
18. Defendant, by his threats, intimidation and coercion, and threats
of violence, have interfered with Plaintiffs' peaceable exercise and
enjoyment of their constitutional right to their religion in violation
of California Civil Code § 52.1.
19. As a direct and proximate result of Defendant's wrongful acts and
conduct af hereinabove alleged, Plaintiffs have suffered, and will
continue to suffer, great anxiety, worry, mental and emotional
distress and other incidents of damage, the exact nature an<
extent of which are unknown to Plaintiffs at this time.
20. In doing the things herein alleged for which he was criminally
convicted, Defendant has acted willfully, wantonly, maliciously and
oppressively and with conscious disregard for the rights and interests
of Plaintiffa. Plaintiffs are therefore entitled fo an award of
punitive damages from Defendant.
21. Moreover, to avoid continued acts of harassment and intimidation
of Henson against Plaintiffs in violation of Civil Code § 52.1,
Plaintiffs are entitled to an order of permanent injunction against
any such further acts in the future.
-4-
COMPLAINT
[end of p. 4]
SECOND CAUSE OF ACTION
(Inteottonal Infliction of Emotional Distress)
22. Plaintiffs repeat, reallege and incorporate herein by this
reference paragraphs 1 through 15, inclusive, 17 through 21,
inclusive, of this Complaint as though fully set forth herein.
23. The acts and conduct of Defendant as hereinabove alleged and for
which he has been criminally convicted was outrageous and calculated
to bebeyond the bounds of common decency, and was willfully and
deliberately calculated by Defendant to cause, and did cause,
Plaintiffs' extreme mental and emotional distress.
24. Defendant's conduct was outrageous, intentional and malicious and
done for the puipose of, or with conscious disregard of the
probability of, causing Plaintiffs to suffer fear, humiliation, mental
anguish and emotional and physical distress. Defendant has confirmed,
ratified, and continued to extend that course of conduct to the
present time knowing that Plaintiffs' distress would increase, and
increase it has. Defendant did these things with a reckless and wanton
disregard of the consequences to Plaintiffs.
25. As a direct and proximate result of the aforementioned course of
conduct, Plaintiffs have suffered humiliation, mental anguish and
emotional distress.
26. In doing the things herein alleged for which he was criminally
convicted, Defendant has acted willfully, wantonly, maliciously and
oppressively and with conscious disregard for the rights and interests
of Plaintiffs. Plaintiffs are therefore entitled to an award of
punitive damages.
THIRD CAUSE OF ACTION
( Negligent Infliction of Emotional Distress)
27. Plaintiffs repeat, reallege and incorporate herein by this
reference paragraphs
1 through 15, inclusive, 17 through 21, inclusive, of this Complaint
as though fully set forth herein.
28. Defendant carried out the above-alleged course of conduct
negligently and
-5-
COMPLAINT
[end of p. 5]
carelessly and in reckless disregard of the rights of Plaintiffs such
that, as a direct, proximate, and foreaccable result of such
negligence, Plainlifife suffered severe emotional
and mental distress.
29. As a further direct, proximate, and foreseeable result of
Defendant's negligence. Plaintiffs have sustained great emotional
disturbance and shock, all of which is caused, and continues to cause,
great physical and mental pain and suffering, all to their damage.
30. In doing the things herein alleged for which he was criminally
convicted, Defendant has acted willfully, wantonly, maliciously and
oppressively and with conscious disregard for the rights and interests
of Plaintiffs. Plaintiffs are therefore entitled to an award of
punitive damages.
'
WHEREFORE, Plaintiffs pray for judgment as follows:
1. For general damages in the amount of $1.00;
2. For the maxinnum civil penalties available undor Civil Code §
52(b)(2) arising out of Defendant's acts in denying Plaintiffs their
constitutional rights under Civil Code§52.1;
3. For punitive damages according to proof at time of trial;
4. For an order of permanent injunction ordering Defendant to cease
and desist from conduct or activities which interfere with Plaintiffs’
exercise or enjoyment of rights secured by the Constitution or laws of
the United States;
5. For an order of permanent injunction ordering Defendant to cease
and desist from making any Airther threats against Plaintiffs and
prohibiting Defendant from coming within 500 yards of Plaintiffs'
residence, their work place and their persons;
6. For attorney's fees in an amount according to proof;
///
///
///
///
-6-
COMPLAINT
[end of p. 6]
7. For costs of suit incurred herein; and
8. For such other and further relief tliat the Court deems just and
proper.
Dated: July 30 [handwritten at one time], 2001
Respectfully submitted,
GILBERT Y.NISHINO
ATTORNEY AT LAW
by: [signature]
Gilbert Y. Nishino
Attorney for Plaintiffs
HILLARY DEZOTELL, KEN HODEN
and BRUCE WAGONER
-7-
COMPLAINT
[end of complaint]
[form #] 982.2(b)(1)
ATTORNEY OR PARTY WITHOUT ATTORNEY (Name, state bar number, and
address)
GILBERT Y. NISHINO, ESQ.
LAW OFFICE OF GILBERT Y. NISHINO
910 E. FLORIDA AVENUE
SUITE C-2
HEMET, CA 92543
TELEPHONE NO. (909)658-6565 FAX NO. (909) 929-4563
ATTORNEY FOR (Name): DEZOTELL, HODEN, & WAGONER
INSERT NAME OF COURT, JUDICIAL DISTRICT, AND BRANCH COURT, IF ANY:
SUPERIOR COURT OF CLAIFORNIA
HEMET - CIVIL
FOR COURT USE ONLY
CASE NUMBER
ASSIGNED JUDGE:
[empty box]
CASE NAME: D. KEITH HENSON
CIVIL CASE COVER SHEET
[X] Limited [] Unlimited
Complex Case Designation [not filled in]
Please complete all five (5] items below.
1. Check one box below for the case type that best describes this
case:
[nothing filled in till near bottom, OCR not corrected]
Auto Tort
en Auto (22)
Other PI/PD/WD (Pereomi lnJuiy/Proparty
DamagaAMrongful Daath) Tort
CI]A8be8to8(04)
I—1 Product liability (24)
I—1 Medical malpractice (45)
l~""1 Other PI/PD/WD (23)
Non-PI/PD/WD (Other) Tort
I—1 Business tort/unfair business practice (07)
I—1 Civil rights (a.g.. discrimination,
falae eunst) (08)
I—1 Defamation (a.g., slander, Hb»t) (13)
I—1 Freud (16)
I—1 Intellectual property (19)
I—1 Professional negligence (a.g., lagal
malpfactica) (25)
I—1 Other non-PI/PD/WD tort (35)
Employment
I—1 Wrongful termination (36)
F—1 Other employment (15)
Contract
I—"I Breach of conliact/warranty (06)
I—1 Collections (a.g., monay owed,
opan book accounts) (09)
\—1 Insurance coverage (18)
r—1 Other contract (37)
Real Proparty
I—1 Eminent domain/inverse
condemnation (14)
I—1 Wrongful eviction (33)
I I Other real property (a.g., quiat
tttia) (26)
Unlawful Datalner
I—1 Commercial (31)
Cl] Residential (32)
Cl] Drugs (36)
Judicial Review
CllAs8etforfelture(05)
Cl] Petition re: arbitration award (11)
I—1 Writ of mandate (02)
I—1 Other Judicial ravlaw (39)
Provisionally Complex Civil Litigation
(Cat. RulM of Court, rulm 1800-1812)
[IJ AnUtrustmade regulation (03)
I—1 Consiructon defect (10)
I—"I Claims Involving mass tort (40)
I—1 Securities litigation (28)
I—~\ Toxic tort/EnvIronmental (30)
I—1 Insurance coverage claims arising from the
above listed proviilonally complex case
types (41)
Enforcement of Judgment
I I Enforcement of judgment (e.g., sistarstata.
foreign, out-of-county abstracts) (20)
Mlicellaneou* Civil Complaint
l~~"1 RICO (27)
[X] Other complaint (not specified above) (42)
Misoellanaow Civil Petition
I—1 Partnerehip and corporate governance (21)
I—1 Other petition (not spacHted above) (43)
2. This case [] Is [X] is not complex under rule 1800 of the
California Rules of Court. If case Is complex, mark the factors
requiring exceptional Judicial management: [none marked, not
corrected]
a. I—1 Large number of separately represented parties d. I—1 Large
number of witnesses
b. I—1 Extensive motion practice raising difficult or novel e. [ID
Coordination and related actions pending In one or more courts
___ issues that will be time-consuming to resolve ___ In other
counties, states or countries, or In a federal court
c. I—1 Substantial amount of documentary evidence f. I—1
Substantial post-disposition Judicial disposition
3. Type of remedies sought (check all that apply):
a. [X] monetary b. [X] nonmonetary; declaratory or Injunctive relief
c. [X] punitive
4. Number of causes of action (specify): 3
5. This case [] Is [X] Is not a class action suit.
Date: 7/30/01
GILBERT Y.NISHINO, ESQ.
(TYPE OR PRINT NAME)
[signature]
(signature of party or attorney for party)
NOTICE
• Plaintiff must file this cover sheet with the first paper filed In
the action or proceeding (except small claims cases or cases filed
under the Probate, Family, or Welfare and Institutions Code). (Cal.
Rules of Court, rule 982.2.)
• File this cover sheet In addition to any cover sheet required by
local court rule.
• If this case is complex under rule 1800 et seq. of the California
Rules of Court, you must serve a copy of this cover sheet on all other
parties to the action or proceeding.
• Unless this is a complex case, this cover sheet shall be used for
statistical purposes only.
Form Adopted for Mandatory Use
Judicial Council of California
982.2(b)(1) (Rev. Janualy 1, 2001
CIVIL CASE COVER SHEET
Cal. Rules of Court. 982.2. 1800-1812;
Standards of Judicial Administration, [paragraph] 19
[end of cover sheet]
SUPERIOR COURT, COUNTY OF RIVERSIDE, STATE OF CALIFORNIA
[form, not wholly corrected from OCR except where relevant]
I—1 BANNING IBS E. Hiy«, Banning. CA 92222
I—1 BLYTHE 268 North BrMdu«y,Blythe,CA 02228
I—1 CORONA 606 BuenaVIste, Corona, CA 91720-1987
[X] HEMET 880 N. State St.. Hemet, CA 92543
I—1 INDIO 46-200 Oasis SL. Indto, CA 82201
I—1 LAKEELSINORE 117 S.Langstaff, Lake BsInora.CA 82630
I—1 MORENO VALLEY 13800 Heacock Av». D201, Momw Valay, CA 926633338
I—1 PALM SPRINGS 3285 E. Tahqijllz Canyon wy„ Palm Spring*. CA 92i62
I—1 PERRIS 227 N."D' 81, PeiTl»,CA92S70
l~~l RIVERSIDE 4060 Main St. RIvonIde.CA 02501
F~l TEMECULA, 41002 County Center Dr., tflOO.TinMula.CA 82591
Name and Address
GILBERT Y. NISHINO, ESQ.
910 E. FLORIDA AVENU
SUITE C-2
HEMET, CA 92543
Bar NO. 100036
Attorney for Plaintiff
or Party without Attorney
(909) 658-6565
FILED
SUPERIOR COURT OF CALIFORNIA
COUNTY OF RIVERSIDE
JUL 30 2001
HILARY DEZOTELL, KEN HODEN, &
BRUCE WAGONER
Plaintiff(s)
vs.
D. KEITH HENSON
Defendant(s)
CASE NO.
009673
CERTIFICATE OF COUNSEL
The undersigned certifies that this matter should be tried or heard In
the HEMET
Court for the following reason:
[x] The action arose In thte Judicial district.
[] The action concerns real property located In this
Judicial district.
[] The defendant resides in this Judicial district.
GILBERT Y. NISHINO, ESQ.
Dated: 7/30/01
Signed by: [signature]
Attorney for Plaintiff(s)
or Party without Attorney
[end of page]
SUPERIOR COURT OF CALIFORNIA
COUNTY OF RIVERSIDE
880 North State Street
Hemet, CA 92543
NOTICE OF TRIAL DEPARTMENT ASSIGNMENT AND STATUS CONFERENCE
DEZOTELL VS HENSON
CASE NO. 009673
The above entitled case is ASSIGNED to the HONORABLE
Comm. Sherrill A. Ellsworth in Department H5 for ALL PURPOSES.
The Status Conference described in Local Rule 11.0060 is scheduled
for 01/28/02 at 1:30 am/pm in Department H5.
The plaintiff/cross complainant shall serve a copy of the Notice of
Trial Department Assignment and Status Conference on all defendants/
cross defendants named or added to the complaint and file proof of
service thereof.
This case has been assigned to Comm. Sherrill A. Ellsworth, sitting as
Judge Pro Tempore, whose appointment as Commissioner is in accordance
with Article Six, Section Twenty-two of the Constitution of this State
and who has been appointed as a Temporary Judge pursuant to an order
of the Court under the authority of Article Six, Section Twenty-one
of the Constitution and Section 259 of the Code of Civil Procedure of
this state.
Within ten (10) days of the date of this notice, the parties must file
a Notice of Non-Stipulation if they do not stipulate to the hearing of
pre-trial, trial, and all subsequent post-trial law and motion matters
before the Commissioner. Failure to file such notice within ten (10)
days shall be deemed an acceptance of the assignment.
DATE OF NOTICE: 07/30/01
CLERK'S CERTIFICATE
I, Clerk of the above entitled Court, do hereby certify that on this
date, I provided the plaintiff(s) or plaintiffs' attorney of record
with a copy of the foregoing NOTICE.
Dated; 07/30/01
by:
[STAMPED] E. MORAN
ELEANOR MORAN
[end of document]
NOTICE TO THE PERSON SERVED: You are served
1. [handwritten X] as an individual defendant
2. [empty box] as the person sued under the fictitious name of
(specify):
3. [empty box] on behalf of (specify):
under: [empty boxes for) CCP 416.10 (corporation) CCP 416.20 (defunct
corporation), etc.
4. [handwritten X] by personal delivery on (date): [handwritten] 8-
(See reverse for Proof of Service) SUMMONS
[end of page]
[reverse side has nothing filled in, is a blank form, did not correct
OCR]
PROOF OF SERVICE •SUMMONS
(Use separata proof of aarvica for aach parson sarvad)
1.1 served the
a. [Ill summons I—1 complaint El] amended summons I—1
amended complaint
El] completed and blank Case Questionnaires I—1 Other
(specify):
b. on defendant (name):
c. by serving I—1 defendant I—lother (name and title or
relationship to person served):
d. I—1 by delivery I—1 at home ["—1 at business
(1) date:
(2) time:
(3) address:
e. I—1 by mailing
(1) date:
(2) place:
2. Manner of service (check proper box):
a. [ID Personal service. By personally delivering copies. (COP 415.10)
b. I—1 Substituted service on corporation, unincorporated association
(Including partnership), or public entity. By leaving,
during usual office hours copies In the office of the person served
with the person who apparently was in charge
and thereafter malling (by first-class mall, postage prepaid) copies
to the person served at the place where the copies
were left. (COP 415.20(a))
c. I—1 Substituted service on natural person, minor, conservatee, or
candidate. By leaving copies at the dwelling house,
usual place of abode, or usual place of business of the person served
in the presence of a competent member of
the household or a person apparently in charge of the office or place
of business, at least 18 years of age, who was
informed of the general nature of the papers, and thereafter malling
(by first-class mail, postage prepaid) copies to
the person served at the place where the copies were left. (CCP
415.20(b)) (Attach separate declaration or affidavit
atating acts railed on to aatabtlsh raaaonabia diligence In first
attempting personal service.)
d. I—1 Mall and acknowledgment urvice. By malling (by first-class mall
or airmail, postage prepaid) copies to the person
served, together with two copies of the form of notice and
acknowledgment and a return envelope, postage prepaid,
addressed to the sender. (COP 415.30) (Attach completed acknowledgment
of receipt)
e. I—1 Certified or registered mall service. By mailing to an address
outside California (by first-class mall, postage prepaid,
requiring a return receipt) copies to the person served. (CCP 415.40)
(Attach signed return receipt or other evidence
of actual dellveny to the person served.)
f. I—1 Other (specify code section):
I—1 additional page Is attached.
3. The 'Notice to the Person Served" (on the summons) was completed as
follows (CCP 412.30,415.10, and 474): '
a. I—1 as an Individual defendant.
b. I—1 as the person sued under the fictitious name of (specify):
c. F—1 on behalf of (specify):
under: I—1 CCP 416.10 (corporation) EH CCP
416.60 (minor) I—1 other:
EH CCP 416.20 (defunct corporation) EH CCP 416.70 (conservatee)
I—1 CCP 416.40 (association or partnership) l~"l CCP 416.90
(individual)
d. I—1 by personal delivery on (date):
4. At the time of service I was at least 16 years of age and not a
party to this action.
5. Fee for service: $
6. Person serving:
a. El] California sheriff, marshal, or constable,
f. Name, address and telephone number and, If applicable,
b. en Registered California process server,
country of registration and number:
c. F—1 Employee or independent contractor of a registered
California process server.
d. I—1 Not a registered California process server.
e. l~~~1 Exempt from registration under Bus. & Prof. Code
22350(b).
I declare under penalty of perjury under the laws of the State
(For California sheriff, marshal, or constable use only)
of California that the foregoing is true and correct.
I certHy that the foregoing is true and correct.
Date:
Date:
~___________________________________________
>____________________________________________
(SIQNATUfiEl
'—'—(SIQNATUHE)—',—
882(1x8) [Ftov. Jinuary 1, 1884]
[end of reverse side]
From: cerridwen@freedom.net
Subject: Re: Latest suit against Henson by CoS
Date: Fri, 17 Aug 2001 22:58:36 -0400
Organization: Posted via Supernews, http://www.supernews.com
Message-ID: <tnrmk0etuitmfb@corp.supernews.com>
Old-From: cerridwen@freedom.net
"Keith Henson" <hkhenson@home.com> wrote in message
news:3b7dc692.29125063@news2.lightlink.com...
>
>
> 29. As a further direct, proximate, and foreseeable result of
> Defendant's negligence. Plaintiffs have sustained great emotional
> disturbance and shock, all of which is caused, and continues to
cause,
> great physical and mental pain and suffering, all to their damage.
What an absolute crock of shit. The entire suit is a crock a shit.
Keith, I am truly disgusted. I'll be sending a check out on Monday.
It's not much but I just can't stand by and watch this crap.
Cerridwen
From: ptsc <ptsc AT nym DOT alias DOT net>
Subject: Re: Latest suit against Henson by CoS
Date: Sat, 18 Aug 2001 09:13:41 -0400
Message-ID: <k9qsnt0iv4v7dogujukn8tkl0mejcevr4i@4ax.com>
On Fri, 17 Aug 2001 22:58:36 -0400, cerridwen@freedom.net wrote:
>"Keith Henson" <hkhenson@home.com> wrote in message
>news:3b7dc692.29125063@news2.lightlink.com...
>> 29. As a further direct, proximate, and foreseeable result of
>> Defendant's negligence. Plaintiffs have sustained great emotional
>> disturbance and shock, all of which is caused, and continues to
>>cause, great physical and mental pain and suffering, all to their damage.
>What an absolute crock of shit. The entire suit is a crock a shit.
>
>Keith, I am truly disgusted. I'll be sending a check out on Monday.
>It's not much but I just can't stand by and watch this crap.
As a reminder to everyone, the addresses are as follows
To donate Directly:
Cash, Checks, Money Orders, or PayPal Accepted
Please send cash, checks, or money orders to:
Temple of At'L'An Refugee Committee
c/o Gregg Hagglund
2237 Munns Ave
Oakville Ontario
Canada
L6H 3M9
Money orders will clear the bank in 10 days.
Personal cheques will clear in 41 days.
The fastest method is to use PayPal.
The Temple of At'L'An PayPal account is:
atlan@home.com
Your donations should remain private.
Thank you all in advance.
---
And hey, if you aren't going to donate money, there's always one thing the cult
hates more than anything else.
PICKET THE FUCKERS!
Here's a request from Arel Henson that people "proxy picket" in her name.
Proxy Pickets for Arel Lucas and Keith Henson
background at http://www.operatingthetan.com
To All Our Friends,
Now that Keith is in prison I realize as never before the number of friends he
has worldwide.
I'm asking a favor of all his friends.
Please picket for us.
The day the verdict was in on one of the 3 counts against him in Hemet,
California, we suspected that the verdict had come in against him on the "hate
crime" count. I was furious. Since it is quite possible that Ida Camburn's home
in Hemet where we were staying is monitored by scientology's Office of Special
Affairs (OSA), I wanted them to hear me when I walked in with Keith and yelled
that I promised them I would picket them every day if he were convicted.
He was, and I do. Sometimes I picket other organizations instead of $cientology
orgs, missions, etc. One day I picketed the FBI, another the ACLU. I vary the
orgs that I picket as much as possible for purposes of educating the general
public as well as those I picket.
I'm asking you to proxy for me, and for both of us while Keith is in prison or
under any injunction not to picket. Aside from local $cientology organizations,
missions, etc., picket any of the "front groups" listed at Arnie Lerma's "Front
Group" link or Earthlink, or any government or other agency that has refused
help to Keith or has proved itself to be uninterested in the human rights and
free speech issues raised by his conviction and/or imprisonment in Canada. But
if you picket any other group, use "scientology" or some easily understable
version thereof on your sign.
You should be aware that you will be photographed and/or videotaped by OSA or
the local scientology agents if you picket their organizations. You may also be
harassed by "handlers" who may abuse you personally and tell you lies about
critics, including Keith and me. If you bring a car they may attempt to find and
photograph it, especially the license number.
Unless you are speaking with genuine law enforcement authorities, I suggest that
you say you're me when asked. My first name is not gender specific. You have my
permission to do this IF:
You are making no threats of any kind
You are not harassing staff or bystanders
You are not carrying any illegal or dangerous substances
You are otherwise conducting yourself in a lawful and courteous manner
You send me email letting me know who you are and where you will be picketing
and when and I acknowledge your email. (Please give me a little notice if you
possibly can.)
I don't mind picketing every day, but it's usually alone, I believe that I'm in
particular danger of being arrested, and I have a mountain of other things to do
just to work and commute and deal with email and phones and snail mail, what
with Keith in prison in Canada. I will appreciate some help.
For instance, I'm trying to find a videographer to go with me to the Mountain
View, California org, since I feel certain they will fabricate a crime against
me next time. They have a resident OSA agent who called the police and, when I
stopped picketing to call Keith at an appointed time while he was still free,
followed me until he saw my car, then pointed the police to me and complained
about Keith, claimed to have a restraining order against me, claimed that they
had papers that they mysteriously could not find for the police. In the
meantime, though, the officer gave them a catalog of what I could do that would
be threatening, and I feel sure they will claim next time that I did something
on that laundry list.
But around the world, the biggest help for me will be to proxy picket for me. It
will save me a minimum of an hour of my time every day that someone proxies for
me.
Keith is very happy to hear of your support, and he needs it now more than ever.
Visit the freehenson site early and often to see what the latest issues are and
how you can help. For me, you can picket. I'm very grateful for the kindness and
work of our friends globally.
With love and gratitude,
Arel Lucas
Keith Henson's wife