TRUCKER TRAITORS

             

TONGANOXIE THUGS ARE RACKETEERS AND PANHANDLERS

Tonganoxie targets trucks with preditory bully hatred to extort money from truck drivers

EXAMPLE:

Notice of Intent to Sue

FACTS

1. On 11-5-13, The Plaintiff was traveling North on 24/40 approaching 4th Ave Stop lite in the area of a 45 MPH zone.

2. While approaching the intersection, the Plaintiff noticed several cars tailgating the Plaintiff.

3. The Plaintiff began to prepare to slow down for the approaching 30 MPH zone and the stop lite when one of the tailgater passed the Plaintiff on the left into the oncoming lane over a solid yellow line.

4. This reckless disregard for the safety of oncoming traffic and the possibility of causing a serious accident in the intersection caused the Plaintiff to wait for an impending accident while not reacting in any sudden action with regards to the other several tailgating vehicles and concerned that breaking excessively at this point would worsen the situation and cause an accident.

5. This was not a good situation.

6. The reckless passing driver speed up to the intersection and turned left (west).

7. After being distracted for a half a minute of so, the Plaintiff returned his attention to the approaching intersection and other tailgating vehicles, concerned at the recklessness of the passing vehicle, the tailgating vehicles and the change in speed limit from 45 to 30 MPH.

8. After coasting through the intersection and again attempting to reduce the speed, the Plaintiff was able to comply with the posted speed sign.

9. At this point, the Plaintiff noticed a patrol car and did not think anything about it except that its’ attention might be in pursuing the car which passed on a yellow line approaching the stop sign at a high rate of speed and possibly noticing that their were several vehicles tailgating the Plaintiff, preventing a safe slowing down by the Plaintiff for the approaching stop lite and speed change.

10. The Plaintiff continued on 24 now heading East and was pulled over by the patrol car.

11. Two individuals approached the Plaintiff and one individual in an abrasive manner asked for the license of the Plaintiff, stating that the speed limit was 30 MPH.

12. The Plaintiff knows what the speed limit is and attempted to explain to both individuals that he was trying to slow down and was abruptly interrupted stating the speed limit is 30 MPH.

13. The patrol individuals were obviously targeting a truck with the intent on ticketing and harassing the driver.

14. It is the opinion of this driver that these individuals were bullying the driver in a hateful manner which is oppressive, discriminatory, and a reckless disregard for the safety of the entire situation.

15. I understand that the City Attorney believes that it is useless to sue a city because of the immunity laws of the State and that it is costly.

16. Any reckless disregard for the rights of citizens should be pursued by any and all citizens or this bully behavior remains unchecked and explodes into tyranny.

17. Is that what our society wants? I do not believe so.

WHEREFORE, the Plaintiff intends on filing an action against the Defendants for the actual and other damages incurred in the Acts of oppression, hate crime, bullying, targeting trucks as determined by the trier of the facts at trial, punitive damages in the amount of $100,000, reasonable attorney fees incurred by the Plaintiff, costs, expert witness fees, interest, and for such other and futher relief as the Court may deem proper.

DATED this 3rd day of march 2014, BY Richard Jurney SS Richard Jurney, Pro Se 202-302-2322

I, Richard Jurney, certify that a copy of this notice was mailed or faxed to the Defendant and others as listed below:

City of Tonganoxie 321 Delaware Tonganoxie, Ks 66086 Kansas Attorney General Derek Schmidt 120 SW 10th Ave., 2nd Floor Topeka, KS

THIS IS NOT PECULIAR TO KANSAS AS THEY HAVE BEEN PANHANDLING FROM THE US TAXPAYER FOR DECADES BEGGING FOR HANDOUTS TO SUPPLEMENT THEIR FARM BUSINESSES AND HELP TO LIMIT COMPETITION ION IN FOOD PRODUCTION.

THEY CONED OUR GOVERNMENT INTO LIMITING PRODUCTION OF MILK, EGGS, VEGETABLES AND OTHER ITEMS IN ORDER TO MANIPULATE THE PRICES TO OUT OF REACH COSTS TO A MAJORITY OF CONSUMERS. INSTEAD OF PROVIDING FOR THE SOCIETY OF WHICH THEY REAP EXTRAORDINARY BENEFITS (U.S.A.), THEY EXPORT A MAJORITY OF MEAT AND VEGETABLES TO OTHER COUNTRIES, THUS ARTIFICALLY CREATING A SHORTAGE, THUS CAUSING THE PRICES TO BE MANIPULATED TO 10 TIMES WHAT IS WOULD BE IF THEY TOOK CARE OF CITIZENS IN THE COUNTRY IN WHICH THEY LIVED AND BENEFITED.

THIS RACKETEERING SCHEME NOW CREATES A VOID IN THE SUPPLY SIDE OF FOOD TO THE U.S. CONSUMER REQUIRING VAST AMOUNTS OF IMPORTS AT REDICULOUS PRICES TO BE PAID TO FEED U.S. CONSUMERS .

THEREFORE, A FARMER DOES NOT FEED 128 PEOPLE + (you), IT ONLY FEEDS ABOUT 10 PEOPLE IN THE U.S.A AND 118 IN FOREIGN COUNTRIES. WHAT CROOKS

THE BIBLE TELLS US TO SUPPORT THE COUNTRY IN WHICH WE LIVE, NOT UNDERMINE IT.