U. S. District Court for the District of Massachusetts
Robert Christopher Kettenburg,
Plaintiff
280 Nahant Road #10
Nahant, MA 01908
e-mail: robkettenburg@hotmail.com
www.robkettenburg.net
VS
Dan Droukis,
Defendant
280 Nahant
Road #1
Nahant, MA
01908
COMPLAINT Under Title 18 of The United States Civil Statue Code,
Part I, Chapter 13,
Section 241: Conspiracy Against Rights.
Section 242: Deprivation of Rights Under Color of Law.
Title 18 U.S. Code, Part I, Chapter 113C, Section 2340A: Torture,
as defined in Section 2340.
Title 18 U.S. Code, Section 1117, Conspiracy to Commit Murder
Title 18 U.S. Code, Section 373, Solicitation to Commit an Act of
Violence
Title 18 U.S. Code, Section 2236, Searches Without Warrant
1.)
This action is brought pursuant to Title XVIII of The United States Civil
Statue Code for conspiracy against rights, deprivation of rights under color of
law, and torture, as defined in Section 2340. Jurisdiction is specifically
conferred on the Court by 42 U.S.C. section 2000e-5. Equitable and other relief
are also sought under 42 U.S.C. section 2000e-5(g).
2.)
Plaintiff, Robert Christopher Kettenburg, is a citizen and honorably discharged
veteran of The United States of America and resides at 280 Nahant Road #10,
Nahant, MA 01908
3.) Defendant, Dan, lives at 280 Nahant
Road #6 or #7, Nahant, MA 01908. He drives a late model black Ford Taurus with
MA plate 101ZFG.
4.) For
starters, Dan has made it pretty obvious that he is tracking my every move so
that he may torture me on behalf of the FBI. A simple investigation should
confirm this. When plaintiff walks to the store, defendant makes sure he gets
there ahead of time so that he may poison plaintiff of behalf of the FBI in
exchange for money to support the alcoholic monkey on his back. The local
convenience store is located right next store to the Nahant, MA post office,
and plaintiff has witnessed him leaving said store right before he enters.
Plaintiff is then poisoned.
When
plaintiff lived in Lockport, NY, the local racist all-white police force there
threatened plaintiff with golf clubs. Today, September 26, 2006, when plaintiff
returned from getting groceries, there was a golf club bag at the top of his
steps, with one golf club sticking out of it. The apartment across the hall
from plaintiff’s had all of their belongings taken out of it and thrown out
into the hallway. Plaintiff then noticed that his two bars of soap that he
placed in the bathroom were missing. “SOAP” by the way is a military phrase for
“SOP:” standard operating procedure. Defendant is making it perfectly clear to
plaintiff that he intends to steal Plaintiff’s belongings and leave him with
nothing because they actually think plaintiff is stupid enough to go back into
the military. An investigation should also reveal that defendant has illegally
entered plaintiff’s dwelling.
Two nights
ago plaintiff was awoken at 4AM in the morning by banging directly below his
bed. Plaintiff walked down the stairs only to find defendant banging on the
ceiling/plaintiff’s floor board. Sound familiar???
Plaintiff
directs this Court to the following internet document: http://www.geocities.com/robkettenburg/02-930.html
The story and links contained on
said web site should be all the proof this Court needs. Plaintiff believes the
information contained on said web page is sufficient evidence to convince a
jury of his claims, and plaintiff seeks to exercise his right to Trial by Jury
in this civil matter.
5.) The
civil rights violations set forth in paragraph 4 of this statement are still
being committed by the defendant to this day.
6.)
WHEREFORE, plaintiff prays that the Court grant the following relief to the
plaintiff:
Defendant should be directed to pay
$60,000.00 for intentional acts committed in paragraph 4 of this complaint
resulting in conspiracy against the plaintiff's rights, deprivation of the
plaintiff's rights under color of law, conspiracy to commit murder,
solicitation to commit an act of violence, illegal search without warrant, and
torture, ($10,000.00 per civil rights violation), and, that the Court grant
other relief as may be appropriate, including injunctive orders, damages,
costs, and any attorney's fees.
7.)
I certify that all of the information contained herein is true to the best of
my knowledge.
Robert Christopher Kettenburg Pro Se
280 Nahant Road #10
Nahant, MA 01908
e-mail: robkettenburg@hotmail.com
http://www.robkettenburg.net