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CASE 0:13-cv-00141-PAM-FLN Document 1 Filed 01/16/13 Page 1 of 5

Drsrrucr oF MnmpsorA
Peter Rickmyer

Plaintiff(s),
VS.

case
1To

No.

ij

tv

t?l

9\Y,lF;0J

b. urrigll.d by Cl.tk of Dittri.r

Michael (KIP) Browne, Jordan Area Community Council, Megan Goodmundson, John Willard Hofi Will McDonald in his individual capacity and
John does 1-3

Court)

DEMAND FOR JURY TRIAL NO YES x


Defendant(s).

COMPLAINT
PARTIES

1.

List your name, address and telephone number. Do the same for any additional plaintiffs.

a.

Plaintiff

Name
Street

Peter Richard RickmYer

Address Code

2ll8 25th Avenue North


Minneapolis Minnesota 55411
Lr..S.

City
State

SCFffi
JArrt

& Zip

I6

20t3

TelephoneNumber 612-516-2853

Dt$TfiiCT COUHT

2.

List all defendants. You should state the full name of the defendant, even if that defendant is a government agency, an organization, a corporation, or an individual. Include the address

CASE 0:13-cv-00141-PAM-FLN Document 1 Filed 01/16/13 Page 2 of 5

where each defendant may be served. Make sure that the defendant(s) listed below are identical to those contained in the above caption.

a.

Defendant No. Name


Street Address

Michael (KIP) Browne


350 South Fourth Street, saite 239

City
State

Minneapolis

& Zip Code

Minnesota 55415

b.

Defendant No. 2 Name


Street Address Jordan Area Communitv Council

2901Emerson Avenue North, Suite 108

City
State

Minneapolis

& Ztp Code

Minnesota 55411

c. Defendant No. 3
Name
Street Address

Megan Goodmundson 2718 Newton Avenue North

City
State

Minneapolis

& Zip Code

Minnesota, 55411

d.

Defendant No. 4 Name


Street Address John Willard

Hoff

2226 Bry arfi Avenue North

City
State

Minneapolis

& Zip

Code

Minnesota 55411

Defendant No. 5 Name

William McDonald

CASE 0:13-cv-00141-PAM-FLN Document 1 Filed 01/16/13 Page 3 of 5

Street Address

300 South 6th Street, Suite A-800

CitY
State

Minneapolis

& Zip Code

Minnesota 55487

JURISDICTION
Federal courts are courts of limited jurisdiction. Generally, two types of cases can be heard in federal court: cases involving a federal question and cases involving diversity of citizenship of the parties. Under 28 U.S.C. $ 1331, a case involving the United States Constitution or federal laws or treaties is a federal question case. Under 28 U.S.C. $ 1332, a case in which a citizen of one state sues a citizen of another state and the amount of damages is more than $75,000 is a diversity of citizenship case.

3.

What is the basis for federal court jurisdiction? (check all that apply)

Federal Question

Diversity of Citizenship

4.

What is the basis for venue in the District of Minnesota? (check all that apply)

Defendant(s) reside in

Minnesota X

Facts alleged below primarily occurred

in

Minnesota

G Other: explain
STATEMENT OF THE CLAIM

5.

Plaintiff Peter Rickmyer ("Rickmyet'', "I", "me") resides in Jordan Neighborhood which has
a neighborhood organization called Jordan Area

Community Council ("JACC) which I was a

member of.

6.

Defendant ("d.") Michael

(KP) Browne lives in Jordan Neighborhood and a member of and

held leadership role in JACC in2009,2010 and

20lI

and continue to have close ties

with

JACC. D. Megan Goodmundson ("Goodmundson") is a eligible member or member and or on


board of directors of JACC between 2009-2013 and significant other is d. John Willard Hoff.
8.

D. John Willard Hoff ("Hoff') is a eligible member or member of JACC who operates a
website called The Adventures of Johnny Northside.

CASE 0:13-cv-00141-PAM-FLN Document 1 Filed 01/16/13 Page 4 of 5

9.

D. William McDonald ("McDonald") is a employee of Hennepin County Department


Corrections ("HCDOC") who at relevant times supervised Plaintiff Rickmyer.

of

10.

Plaintiff Peter Rickmyer sometime in February of 2009 requested JACC to vacate 2009
James Avenue

North since it was inappropriate for their organization to hold public events

and have their headquarters their and told them

it appeared they were disguising a bribe

as

rent payments by paylng top dollar to rent a foreclosed home.


11. D. Browne, Goodmundson and

Hoff retaliated against Plaintiff Rickmyer for complaining of

JACC's blatant disrespect for persons with disabilities by violating ("ADA") and suggesting
they were bribing their landlord Aky-Berg.
12.

Plaintiff Rickmyer attempted to stop the harassment by attempting to access the Courts by
requesting restraining order and filing a lawsuit, the d. Browne, Goodmundson, Hoff and

JACC took steps to deprive Plaintiff Rickmyer constitutional rights of freedom of speech,
access to court, due process, freedom

of liberty by having d. McDonald give me directives

and or violate my parole.


13. D.

Hoff requested McDonald for relief after being served in existing

case 27-cv-10-3378

by

process server on March 2,2011, D. McDonald as HofPs representative requested (ex-parte)

the summons be not accepted, Judge Blaeser honored the request by ex-parte and ruled summons was no good.
14. D. McDonald on behalf of d. Browne, Goodmundson,

Hoff and JACC falsely accused me of

violating the courts order and therefore violated his directive for sole purposes of
incarceration for voicing my opinion, accessing the courts. D. Goodmundson ("her") is a

known liar to me who lied to McDonald stating I was harassing and stalking her in the
Hennepin County government center. Which I was charged with but dismissed.

CASE 0:13-cv-00141-PAM-FLN Document 1 Filed 01/16/13 Page 5 of 5

15. D. McDonald committed fraud upon the Judicial system when he lied in the administration

hearing of Minnesota Department of Corrections Hearing so to get rid of me by having me incarcerated on behalf of d. Browne, Goodmundson, Hoff and JACC.
16. D. McDonald violated my parole three separate times to either silence me and or get

rid of

me by incarceration or in custody some agencies call

it house arrest and or curfew.

REQUEST FOR RELIEF


$305 dollars each day my liberty was restrained by incarceration or house arrest or curfew.

Dated: January 16,2013


Signature of

Plaintiff

6t.. Ri.k*u.,
2ll8 25tn Avenue North
Minneapolis, Minneso ta 5 5 4l I 612-5r6-28s3

Z ti

JS

44

(Rev.

I 2/1

2)

CASE 0:13-cv-00141-PAM-FLN Document 1-1 Filed 01/16/13 3zvt*l Page 1 ofPArr 1

CIVI

COVER SHEET

/P c.rJ

TheJS44civi|coversheetandtheinformationcontainedhereinneitherrep|acenorsupplementthef|ingalrdserviceofpleadingsorotherpapersasrequired orovidedbvlocal rulesofcourt. Thisform,approvedbytheJudicial ConferenceoftheUnitedStatesinSeptemberl9T4.isrequiredlbrtheuseottheLlerkotCourtlorthe irurpose ol initiating the civil docket sheel. rSEt tusrnircnoNs oN NEXT PAGL' oF THIS F)RM.)

I. (a) PLAINTIFFS
Peter Rickmeyr

DEFENDANTS
Michael (KIP) Browne. Jordan Area CommuniW Council, Megan Coodmundson, John Willard Hoff, Will McDonald, in his individual capacity and John Does I -3

(b)

CountyofResidence ofFirst Listed

Plaintiff

E9449pjn

(EXCEPT IN U.S. PLAINTIFF CASES)

County of Residence of First Listed Defendant i.)Ennffgr (lN U.S. PLAINTIFF CASES ANLY) t *" :: IN LAND CONDEMNATIO-].I CASES;ESE THELOCATION OF NOTE: ,.. INVOLVED.:.,jTHE TRACT OF LAND

(C) ettomeys

(Firm Nqme, Adclress, and Telephone Number)

Attomeys (IfKnown)

II. BASIS OF JURISDICTION


tr1
U.S. Govemment

(Ptace an

"x" in one Box onty)

CITIZENSHIP OF PRINCIPAL PARTIES


(1.-or

Plaintiff
U.S. Govemment Defendant

E3

Diversrty Cases Only)

rPlaggan ' ** n,l

"I:}n
On

Federal Question (U.5. Government Nol o Party)

Citizen of This

State

HT
E2

ogt"t

b,

lncorporated or Principal Place ofBusiness In This State

one Boxlor Plaintif r, r ro n "* r 1,U,

!;{

tr 4 E5

Q4

a)

! 4

Diversity qndicate Citizenship ol Parties in ltem III)

Citizen of Another State Citizn or Subject ofa Foreign Country

lZ E 3

IncorporatedandPrincipalPlace
ofBusiness In Another State ForeignNation

15

!o

fl6

IV. NATURE

OF SUIT

(Ptsce sn

"x" in one

Box onty)

CONTRACT

TORTS

FORFEITURE/PENALTY
PERSONAL INJURY

RAilIl{RII|?T{:V

I llo lnsurance E t2o Marine E 130 Miller Act E 140 Negotiable Instrument I I 50 Recovery of Overpaynent
& Enforcerent
of Judgment

! fl !

PERSONAL INJURY :lo eirplane 315 AirplaneProduct

E E !

365 Personal lnjury Product Liability

625 Drug Related Seizwe ofProperty 21 USC 881 690 other

-422

Appeal28 USC 158

423 withdrawal 28 USC 157

Liability
320 Assault, Libel & Slander 330 Federal Employers'

36THealthCare/
Pharmaceutical Personal Injuy Product Liability 368 Asbestos Personal Injury Product

PRO?ERTY RIGHTS

E l5l Medicare I I 52 Recovery ! E I E !

Act
of Defaulted

E. E E D E D !

E E
E
I,ABOR

Liability
340 Marine 345 Marine Product

820 Copyrights 830 Patent 840 Trademark

I lzs False Claim Act ! 400 State Reapportionment ! 4l0Antitrust E 430 Banks and Banking [ 450 Comerce fl 460 Deportation E 470 Racketeer Influenced and E ! ! fl E D D E I I
Conupt Organizations 480 Consuner Credit
490 Cable/sat TV

Student Loans (Excludes Veterans) I 53 Recovery of Overpayment ofVeteran's Benefits I 60 Stockholders' Suits l9o Other Conhact 195 Contract Product Liability 196 Franchise

Liability
PERSONAL PROPERTY El 370 other Fraud 371 Truth in Lending D 380 other Personal

socrAr. sncrJRrT! Ll

Liability
350 Motor Vehicle 355 Motor Vehicle Product Liability 360 OtherPersonal Inj ury 362 Penonal Iqjury Medical Malnractice

E
E
D D

71

0 Fair Labor Standards

Act
720 Labor/Management Relations 740 Railway Labor Act 751 Family and Medical Leave Act 790 Other Labor Litigation

fl fl !

861 HrA (13esf0 862 Black Lms (923)


863

sso Securities/Comrodities/
Exchange 890 Other Statutory Actions 891 Agricultual Acts 893 Environmental Matters 895 Freedomof Infomntion

Drwc/Diww (aos(g))

lJ

Property Damage Jd) rropeny uanrage Product Liability

864 sstD Title sos Rst 1+os1g;

xvl

Act

E
PRISON-ER PETITIONS

REAL PROPERTY

CIYIL RIGH'I-S

lJ z lu Lano

E E E E

fl

220 230 240 245 290

Lonoemnauon Foreclosure Rent Lease & Ejectmenl Torts to Land Tort Product Liability All Other Real Property

X | ! fl [ [ I

440 Other Civil Rights

++t voting 442 Employnent 443 Housing/


Accommodations 445 Arner. w,/Disabilities Enrployment 446 Arner. w/Disabilities Other 448 Education

E E D D

Habeas Corpus: 463 Alien Detaiilee 510 Motions to Vacate


Sentence

LJ /vr rnlpioyee Kerrremenr Income Security Act

I I

870 Taxes (U.S.

FEDERAL TAX SUTTS Plaintiff

896 Arbitration gsg Adninishative Procedue AcL/Review or Appeal Agency Decision 950 Constitutionality
State Statutes

of

or Defendant) 871 IRS-Third Party 26 USC 7609

of

530 ceneral 535 Death Penalty

Other:

IMNIIGRA I I(.'N Ll 40l Narurarzauon Appllcauox

! 540 Mandamus & Other n 550 civil Rights Ll 5)) Pnson LonOrnon E 560 Civil Detainee Conditions of Confinement

!465

Other

llmigration

Actions

ll 2 Removed from ! 3 X I Original Pro-eeding State Court


CAUSE OF
l 983

X" in One Box Only)

Remanded from Appellate Court

Ll4

Reinstated or Reopened

l__l

Transferred from Another District


(sPecifl)

Ll

Multidistrict Litigation

VI.

the U.S. Civil Statute under which you are description of cause:
loss of li

fiing

(Do not cite jurisdictional statutes unless diversity),

ACTION

VII. VIII.

$305 per day

of
CHECK YES only if demanded in comp'laint:

REQUESTED IN

COMPLAINT:
RELATED CASE(S) IF'ANY

CHECT IF THIS IS A CLASS ACTION UNDER RULE 23, F.R.Cv.P.

DEMAND

liberty loss or
restricted

JURY
(See instructions):

DEMAND: IYes
rr

No

DOCKETNUM
OF ATTORNEY OF RECORD

i"rA i'.IFi H

i- t&- Lo(3
FOR OFFICE USE ONLY

pKo- 5,t

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