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

MOTION FOR WAIVER OF SERVICE

The purpose of this Motion for Waiver of Service is so Plaintiff, Robert Christopher Kettenburg, can bring the following Title 18 US Code Violations to this Court's attention:

Plaintiff would like to charge the following people with Title 18 of the US Code, Sections 241, 242, 1117, 373, and 2340A, as defined in Section 2340: The person who drives the Black Mercury Gran Marqui with chrome wheels and Massachusetts plate 2295 usually parked in front of Seaside Restaurant in Nahant, Massachusetts (He is a Jewish alchoholic Counter Intelligence Agent who poisoned me when I bought a pizza there). The person who is charge of the Nahant, Massachusetts, Police force uses his employees to carry out the above listed Title 18 US Code violations against me. He is probably a Jewish alchoholic Mason who drinks blood. The person who is charge of the North Shore Community College, Lynn Campus, next to the bus terminals in Lynn, Massachusetts, uses his employees to track, torture, and make death threats against me. The elderly gentleman (name unknown) who lives at 280 Nahant Road #5, Nahant, Massachusetts, and drives a red four door Oldsmobile Cutlass with PALM BEACH, Florida plate G65MUR, has also made death threats against me . The owner of 33 Winter Road, Nahant, Massachusetts: he uses his home as a base to track and torture Honorably Discharged soldiers who have not committed any crimes on behalf of the US government for drug$.

The above listed people are threatening Plaintiff with acts of violence and death if I speak up against my landlord, Peter Dawson, owner of Nahant Country Club, Nahant, Massachusetts, in a Court of law for violating my civil rights. A recent Second Circuit ruling clearly states that employers are responsible for their employees' actions. Above listed Defendant in this case, Dan Droukis, is an employee of Peter Dawson, so legally, Peter Dawson, who is well connected with the local police force, is responsible for violating Plaintiff's civil rights, even though Plaintiff does not believe that Peter himself actually took part in any civil rights violations against Plaintiff. Plaintiff wishes to point out that an African American woman with Pennsylvania license plates on her car got into a big fight with Peter's daughter, Yasmine, and the very next day, (Columbus Day, 2006) Yasmine had construction workers banging very loudly with hammers directly below Plaintiff's dwelling, all morning long. Apparently when Caucasians have problems with African Americans, they retaliate by torturing Plaintiff (non-stop).

Other people involved who Plaintiff believes have also violated his civil rights and are preparing to carry out an act of violence against Plaintiff if he speaks up against his landlord in a Court of law as they have made indirect death threats toward him are Houston attorney Richard Burr (who is probably a Jewish Counter Intelligence Agent), and the following two soldiers that Plaintiff served with at Bravo Company, United States Army Field Station Berlin, Germany, 1985-1986 (This was the military intelligence company for the 4th, 5th, and 6th Battallions of the 502nd Infantry Regiment, 101st Airborne Division at the height of the Cold War, 110 miles behind enemy lines.): SGT Keith Evans who is from New Jersey and SGT Ed Turgeon who is from Maine.

I certify that all of the information contained within this Motion for Waiver of Service is true to the best of my knowledge.