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Windsor prepares for October 7, 2011 Hearing in Lawsuit against Fulton County for Criminal Racketeering

windsor-william-m-2007-200w

William M. Windsor has been working hard in preparation for the October 7, 2011 hearing in William M. Windsor v. Fulton County, et. al.

On September 23, I won approval for this lawsuit to decide the rights of Georgia citizens with Grand Juries.  The Verified Complaint was filed on September 27, and Judge Baxter scheduled a hearing for October 7, 2011 at 2:30 pm in Courtroom 4D, Justice Center Tower, 185 Central Avenue SW, Atlanta, Georgia 30303.  If you are in Georgia, please plan to attend….

  

Judge Jerry W. Baxter’s staff has been very helpful in preparations for the hearing.  Arrangements have been made for video and audio in the courtroom.  I have applied for permission to have a video crew in the courtroom, and if it is granted, we plan to stream the hearing live on www.LawlessAmerica.com.

Several of the Defendants seem to be doing their best to avoid process.  In addition to the Summons & Complaint, we are trying to get subpoenas served to compel witnesses to attend and bring evidence.

I filed sixteen affidavits with the Court today.  One was to ensure that everything in the First Amended Verified Complaint was also clearly a sworn affidavit.  One was to provide the history that preceeded this civil action — the corruption in the federal courts.  The rest were to put into the record the sworn affidavits that I had provided to the Fulton County Grand Jury.  I always put as much evidence into the record as early as possible since my experience in the federal courts is that they will do everything possible to block me from getting any evidence into the record.

If anyone has any advice, please email me — Bill@LawlessAmerica.com.

Here is everything filed in this case thus far — 2011CV206243 in the Fulton County Superior Court:

Verified Complaint: William M. Windsor v. Fulton County, the Fulton County District Attorney’s Office, Paul Howard, Jr. (the Fulton County District Attorney), Naomi Fudge (Fulton County DA’s Office Guard Dog Receptionist), Cynthia Nwokocha (Fulton County DA’s Office Chief Investigator who charged me with criminal trespassing), Rebecca Keel (Assistant District Attorney), Waverly Settles (Assistant District Attorney), Steve Broadbent (politician and recent Grand Jury Foreman), Lieutenant English, Deputy Betts, and Deputy Roye with the Fulton County Sheriff’s Department.

Exhibit 1Exhibit 2Exhibit 3Exhibit 4Exhibit 5Exhibit 6Exhibit 7Exhibit 8Exhibit 9Exhibit 10Exhibit 11Exhibit 12Exhibit 13Exhibit 14Exhibit 15Exhibit 16Exhibit 17Exibit 18Exhibit 19Exhibit 20Exhibit 21Exhibit 22Exhibit 23Exhibit 24Exhibit 25Exhibit 26Exhibit 27Exhibit 28Exhibit 29Exhibit 30Exhibit 31Exhibit 32Exhibit 33Exhibit 34Exhibit 35Exhibit 36Exhibit 37Exhibit 38Exhibit 39Exhibit 40Exhibit 41Exhibit 42Exhibit 43Exhibit 44Exhibit 45 Exhibit 46Exhibit 47Exhibit 48Exhibit 49Exhibit 50Exhibit 51Exhibit 52

Motion to Add Defendants

Order Granting Motion to Add Defendants

Order setting Hearing on Motion for Temporary Restraining Order and Preliminary Injunction

Motion for Accelerated Discovery

Order Denying Accelerated Discovery

Motion to Allow Recording in the Courtroom

First Affidavit

Second Affidavit

Third Affidavit

Fourth Affidavit

Fifth Affidavit

Sixth Affidavit

Seventh Affidavit

Eighth Affidavit

Ninth Affidavit

Tenth Affidavit

Eleventh Affidavit

Twelfth Affidavit

Thirteenth Affidavit

Fourteenth Affidavit

Fifteenth Affidavit

Sixteenth Affidavit

It saddens me when I get notice of horrendously rude people who don’t have a clue making posts demeaning what I am doing and slandering me up one side and down the other.  Here’s the latest.

I am seeking a Temporary Restraining Order, interlocutory, and permanent injunctive relief:

a.   that Defendants be temporarily RESTRAINED and preliminarily and permanently enjoined from interfering in any manner with letters sent by Windsor to anyone;

b.   that Defendants be temporarily RESTRAINED and preliminarily and permanently enjoined from claiming any authority over grand juries;

c.   that Defendants be temporarily RESTRAINED and preliminarily and permanently enjoined from interference with a citizen’s attempts to present evidence to a Grand Jury in violation of O.C.G.A. § 16-10-93 and O.C.G.A. § 16-10-94;

d.   that defendants be temporarily RESTRAINED and preliminarily and permanently enjoined from speaking to a grand jury other than under oath in an official session of the grand jury to present information regarding any witness or potential witness or regarding any matter that may come before the grand jury;

e.   that defendants be temporarily RESTRAINED and preliminarily and permanently enjoined from speaking to a grand jury, other than under oath in an official session of the grand jury, with information regarding any witness, potential witness, or potential matter to be considered by the grand jury because to do so is jury tampering;

f.    that Defendants be temporarily RESTRAINED and preliminarily and permanently enjoined from interfering with any citizen’s efforts to present criminal charges and evidence to a Grand Jury for consideration without interference from the Office of the District Attorney or from the Sheriff’s Department or other law enforcement personnel;

g.   that the Fulton County Grand Jury is an independent body created by statute that is independent of the District Attorney’s Office or any other government body;

h.   that the Defendants be hereby temporarily RESTRAINED and preliminarily and permanently enjoined from prohibiting any access to the Grand Jury by William M. Windsor or anyone working with him or on his behalf;

i.    that the Defendants be hereby temporarily RESTRAINED and preliminarily and permanently enjoined from denying access to government buildings for lawful purposes by claiming such actions violated O.C.G.A. § 16-7-21;

j.    that the Defendants be hereby temporarily RESTRAINED and preliminarily and permanently enjoined from denying Windsor access to government buildings for lawful purposes by claiming such actions violated O.C.G.A. § 16-7-21;

k.   that all Defendants be hereby temporarily RESTRAINED and preliminarily and permanently enjoined from destroying any evidence or erasing or modifying any information on any computers relevant in any way to the Plaintiff, Alcatraz Media, LLC, Alcatraz Media, Inc., Sabrina Felton, or any person denied access to the grand jury;

l.    that the Defendants shall be prohibited from engaging in the same type of endeavor as the enterprise in which engaged in violation of Code Section 16-14-4; and

m.  that the enterprise be dissolved.

 If you can be in Atlanta on October 7, please join me at the Fulton County Courthouse.

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