Mahalo
SIGNATURE:
Clifford "RAY" Hackett www.rayis.me RESUME: www.rayis.me/resume
I founded www.adapt.org in 1980 it now has over 50 million members.
$500 of material=World’s fastest hydrofoil sailboat. http://sunrun.biz
Mahalo
SIGNATURE:
Clifford "RAY" Hackett www.rayis.me RESUME: www.rayis.me/resume
I founded www.adapt.org in 1980 it now has over 50 million members.
$500 of material=World’s fastest hydrofoil sailboat. http://sunrun.biz
Mahalo
SIGNATURE:
Clifford "RAY" Hackett www.rayis.me RESUME: www.rayis.me/resume
I founded www.adapt.org in 1980 it now has over 50 million members.
$500 of material=World’s fastest hydrofoil sailboat. http://sunrun.biz
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Page 1 of 3
IN USA DISTRICT COURT
Case No.
PLAINTIFF:Clifford “RAY” Hackett
vs.
DEFENDANT: Jacqueline Hackett
COMPLAINT
COMES NOW the plaintiff, Clifford “RAY” Hackett, pro se, and files this complaint
PARTY FACTS
Plaintiff ( USA citizen) and defendant (Alien fugitive with life sentence) were married on may 2, 2002 But marriage was made fake by defendant without plaintiff’s knowledge. This was done for the purpose of marriage fraud to enter USA which is a class6 felony.
Defendant who is a resident of Colorado, filed in New Mexico for divorce from plaintiff.
(Case No.D-1116-DM-201000791
Defendant Maureen O’Donnell is the manager of Hilo Social Security office at 111 puainako,Hilo, HI 96720 and may be served summons at 111 puainako, Hilo, HI 96720 fax 8085413536 and is hereinafter referred to as “Maureen.”
Attorney Zane Swank represented Defendant, but withdrew when plaintiff proved defendant was a colorado resident..
Attorney letigra is a second lawyer hired by Mrs. Hackett , but withdrew when plaintiff proved defendant was a colorado resident.
Gina Reyes is a child support worker in Durango, 1060 E. 2nd Ave Durango, CO 81301 who was bribed by defendant to join fraud conspiracy against plaintiff.
CASE FACTS
On or about SEP 14, 2010, defendant filed for divorce from plaintiff. Filing listed defendant’s income as ½ of actual and plaintiff’s income as double the actual.
Plaintiff was not served with the summons for his divorce until JAN 16, 2010 when a Marshall broke into his house.
Approximately 99% of plaintiff’s motion were denied or ignored and ALL DEFENDANT’S MOTIONS GRANTED by San Juan County Court since January 16, 2010, when he was served.
Plaintiff was severely distraught over the intentional acts of the attorneys in his divorce proceedings. His family had split up and he was blocked from his children for years. His kids in Asia are starving to death due to this fraud. The defendant couldn’t have cared less.
Plaintiff called the Association for Honest Attorneys for assistance in May, 2012. He was to the point that he felt his life would be better if it ended. The mental anguish and emotional distress of his divorce dragging out for years had taken its toll on his health, and he felt he was dying a slow death.
The initial filing of the divorce by defendant is invalid due to the lack of service on Plaintiff until January, 2010. Other errors exist in court paperwork.
Plaintiff is justified in his claims involving tort of outrage and outrageous government conduct in this matter. Due to such outrageous government conduct, Plaintiff has been unable to obtain effective assistance of counsel to date and must proceed pro se in this matter.
Plaintiff has demanded that defendants take action to make plaintiff whole for his losses. Defendants have refused plaintiff’s demands.
PRELIMINARY STATEMENT
Defendants violated numerous national laws, statutes, ordinances and regulations, including but not limited to: due process, right not to be deprived of property under the 5th amendment (as incorporated to the states through the 14th amendment) and plaintiff’s right to be heard which was denied due to the influence of the court. The overt acts of fraud and collusion in this matter which were engaged in by the defendant to deprive plaintiff of his assets include, but are not limited to: ordering plaintiff to pay child support without a proper basis for doing so. Violations also exist concerning Supreme Court Rule 227, and plaintiff
should be reimbursed by the Lawyers’ Fund for Client Protection (LFCP) for the dishonest conduct of the lawyers and judge in this matter.
This case warrants claims involving tort of outrage, bad faith, outrageous government conduct and manifest injustice. The defendant’s acts and failures to act are criminal in nature as they are indicative of legalized stealing from the plaintiff, and depict “the dagger of an assassin” in actions toward him. Accordingly, plaintiff is justified in alleging each of the following claims against the defendant.
CAUSES OF ACTION
Violations of Plaintiffs’ 5th Amendment Rights
Plaintiff incorporates by reference Exhibit A of this Petition.
Civil Conspiracy and/or Collusion
Plaintiff incorporates by reference Exhibit A of this Petition.
Fraud and Misrepresentation
Plaintiff incorporates by reference Exhibit A of this Petition.
Intentional Infliction of Emotional Distress
Plaintiff incorporates by reference Exhibit A of this Petition.
WHEREFORE, plaintiff respectfully requests judgments of the court against all of the defendants awarding to plaintiff (i) damages in excess of $75,000.00 for each defendant; (ii) pre- and post-judgment interest; (iii) costs, including reasonable attorney fees, for this action; (iv) injunctive relief enjoining all defendants from continuing the intentional infliction of emotional distress; and (v) any other relief deemed just and equitable by the court.
DEMAND FOR JURY TRIAL
Plaintiff respectfully requests that the issues in this matter be heard by a jury.
DESIGNATION OF TRIAL
Plaintiff designates Hawaii as the location for the trial in this matter.

Medical staff treat a child suffering from malnutrition at Garowe General Hospital on February 27, 2017 in Garowe, Somalia. Somalia is currently on the brink of famine with over half of the country’s population facing acute food insecurity according to the United Nations. The intensifying crisis has humanitarian groups racing to stop a repeat of 2011, in which 260,000 people died of famine throughout country. (Credit: Andrew Renneisen/Getty Images)
Somalia and three other countries desperately need aid to save more than 20 million people from starvation and diseases, the United Nations said.
UN humanitarian chief Stephen O’Brien pleaded with the world to come to the rescue of Kenya, Yemen, South Sudan and Somalia.
“We stand at a critical point in history. Already at the beginning of the year we are facing the largest humanitarian crisis since the creation of the UN,” he said Friday.
“Now, more than 20 million people across four countries face starvation and famine. Without collective and coordinated global efforts, people will simply starve to death. Many more will suffer and die from disease.”
The UN was founded in 1945.
Terror group stealing food
In Somalia, more than 6 million people are in need of food assistance — more than half the population.
The drought, impending famine and the presence of terrorist group Al-Shabaab have left the country and its people in a desperate situation.
“The situation is critical in Somalia. People are dying of hunger and there is no water,” said Mogadishu resident Noor Ibrahim, who fled his home to seek help at a camp.
“Al-Shabaab blocks the roads, there is no access for food aid, the Shabaab steal food as well.”
In neighboring Kenya, more than 2.7 million people are at risk of starvation, and that number could go up to 4 million by next month, the UN said.
“In collaboration with the government [of Kenya], the UN will soon launch an appeal of $200 million to provide timely life-saving assistance and protection,” O’Brien said.
South Sudan, where a famine was recently declared, has more than 7.5 million people in need of assistance — more than half of whom have been displaced, according to the UN.
And in Yemen, more than 7 million people are severely food insecure, it said.
‘Neglected’
UN Secretary-General Antonio Guterres made a similar appeal this week, warning that the crisis facing Somalia has been “neglected” by the world.
“Let’s not forget that each one of these people is an individual case of extreme suffering,” he said.
“There is a moral obligation for us all to do everything we can to support these people.”
Money is needed in Somalia — and quickly. In addition to drought and famine, diseases, such as cholera and measles are beginning to spread.
Last week, Somali Prime Minister Hassan Ali Khaire announced that 110 people had died from starvation and drought-related illness.
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IN USA DISTRICT COURT
Case No.
PLAINTIFF:Clifford “RAY” Hackett
vs.
DEFENDANT: Jacqueline Hackett
COMPLAINT (page1 of 4)
COMES NOW the plaintiff, Clifford “RAY” Hackett, pro se, and files this complaint
FACTS PERTAINING TO THE PARTIES
Plaintiff ( USA citizen) and defendant (Alien fugitive with philippines life sentence) were married on may 2, 2002 But marriage was made fake by defendant without plaintiff’s knowledge. This was done for the purpose of marriage fraud to enter USA which is a class6 felony.
Defendant who is a resident of colorado, filed in New Mexico for divorce from plaintiff in the District Court of San Juan County, in 2010.
Defendant filed for divorce from Plaintiff in the District Court of San Juan County, New Mexico, in May, 2010 (Case No.D-1116-DM-201000791). Plaintiff was not served with divorce papers until January, 2010 by a US marshal breaking into his apartment.
Attorney Zane Swank represented Defendant, but withdrew when plaintiff proved defendant was a colorado resident..
Attorney letigra is a second lawyer hired by Mrs. Hackett , but withdrew when plaintiff proved defendant was a colorado resident.
Gina Reyes is a child support worker in Durango, 1060 E. 2nd Ave Durango, CO 81301 who was bribed by defendant to join fraud conspiracy against plaintiff and advised defendant to file in New Mexico where a judge would trade sex .
FACTS PERTAINING TO THE CASE (page2 of 4)
On or about 9- 14, 2010, defendant filed for divorce from plaintiff. She had been (stated to plaintiff) having an affair with the judge..
On this same date, prior to plaintiff being served with divorce papers, court ordered that defendant be given complete custody of the kids.
Plaintiff was not served with the summons for his divorce until January 16, 2010 when a Marshall broke into his house.
This represents a violation of Supreme Court Rule 1.9 of Rules of Professional Conduct.
Approximately 99% of the motions filed by plaintiff were denied or ignored by San Juan County Court since January 16, 2010, when he was served.
Defendant had an affair with the judge, throughout much of the divorce proceedings. Plaintiff has recordings of her admitting it.
Plaintiff was severely distraught over the intentional acts of the attorneys and judge in his divorce proceedings. His family had split up and he was blocked from his children for years. His kids in Asia are starving to death due to this fraud. The defendant couldn’t have cared less.
Mr. Hackett called the Association for Honest Attorneys for assistance in May, 2012. He was to the point that he felt his life would be better if it ended. The mental anguish and emotional distress of his divorce dragging out for years had taken its toll on his health, and he felt he was dying a slow death.
The initial filing of the divorce by defendant is invalid due to the lack of service on Plaintiff until January, 2010. Other errors exist in court paperwork.
Plaintiff is justified in his claims involving tort of outrage and outrageous government conduct in this matter. Due to such outrageous government conduct, Plaintiff has been unable to obtain effective assistance of counsel to date and must proceed pro se in this matter.
Plaintiff has demanded that defendants take action to make plaintiff whole for his losses. Defendants have refused plaintiff’s demands.
PRELIMINARY STATEMENT (page3 of 4)
Defendants violated numerous national laws, statutes, ordinances and regulations, including but not limited to: due process, right not to be deprived of property under the 5th amendment (as incorporated to the states through the 14th amendment) and plaintiff’s right to be heard which was denied due to the influence of the court. The overt acts of fraud and collusion in this matter which were engaged in by the defendant to deprive plaintiff of his assets include, but are not limited to: ordering plaintiff to pay child support without a proper basis for doing so. Violations also exist concerning Supreme Court Rule 227, and plaintiff should be reimbursed by the Lawyers’ Fund for Client Protection (LFCP) for the dishonest conduct of the lawyers and judge in this matter.
This case warrants claims involving tort of outrage, bad faith, outrageous government conduct and manifest injustice. The defendant’s acts and failures to act are criminal in nature as they are indicative of legalized stealing from the plaintiff, and depict “the dagger of an assassin” in actions toward him. Accordingly, plaintiff is justified in alleging each of the following claims against the defendant.
CAUSES OF ACTION
Violations of Plaintiffs’ 5th Amendment Rights
Plaintiff incorporates by reference Exhibit A of this Petition.
Civil Conspiracy and/or Collusion
Plaintiff incorporates by reference Exhibit A of this Petition.
Fraud and Misrepresentation
Plaintiff incorporates by reference Exhibit A of this Petition.
Intentional Infliction of Emotional Distress
Plaintiff incorporates by reference Exhibit A of this Petition.
WHEREFORE, plaintiff respectfully requests judgments of the court against all of the defendants awarding to plaintiff (i) damages in excess of $75,000.00 for each defendant; (ii) pre- and post-judgment interest; (iii) costs, including reasonable attorney fees, for this action; (iv) injunctive relief enjoining all defendants from continuing the intentional infliction of emotional distress; and (v) any other relief deemed just and equitable by the court.
DEMAND FOR JURY TRIAL
Plaintiff respectfully requests that the issues in this matter be heard by a jury.
DESIGNATION OF TRIAL
Plaintiff designates Hawaii as the location for the trial in this matter.
IN USA DISTRICT COURT
Case No.
Clifford “RAY” Hackett
Plantiff,
vs.
(Exhibit A) Defendants
COMPLAINT
COMES NOW the plaintiff, Clifford “RAY” Hackett, pro se, and files this complaint against the defendants as follows:
Defendants
Defendant, Jacqueline Hackett is the estranged spouse of the plaintiff, Clifford “RAY” Hackett, with primary place of residence at:Hilton Hotel Durango 501 Camino Del Rio, Durango, Colorado, 81301. Defendant, Jacqueline Hackett, may be served summons at her primary place of residence: Hilton Hotel Durango 501 Camino Del Rio, Durango, Colorado, 81301. Defendant, Jacqueline Hackett is herein after referred to as “Jacqueline Hackett” or “Mrs. Hackett.”
FACTS PERTAINING TO THE PARTIES
Plaintiff, Clifford “RAY” Hackett, is a United States Citizen and resides in Homeless shelters. Plaintiff, Clifford “RAY” Hackett, is a blind and deaf man, is retired, and is the estranged spouse of defendant, Jacqueline Hackett.
Clifford and Jacqueline Hackett are the parents of four children: Hazel, Faye, Norman, and 2 killed by abortion. They were married on may 2, 2002 But marriage was made fake by defendant without plaintiff’s knowledge.
Jacqueline Hackett has kept all of the books and records.
Jacqueline Hackett a resident of colorado, filed for divorce from Clifford "RAY" Hackett in the District Court of San Juan County, New Mexico , in 2010.
Jacqueline Hackett filed for divorce from Clifford "RAY" Hackett in the District Court of San Juan County, New Mexico, in May, 2010 (Case No. 01 DM 59). Clifford "RAY" Hackett was not served with divorce papers until January, 2010 by a US marshal breaking into his apartment.
Zane Swank represented Mrs. Hackett in the filing of her divorce, but withdrew when plaintiff proved defendant was a colorado resident..
Attorney letigra is a second lawyer hired by Mrs. Hackett , but withdrew whn plaintiff proved defendant was a colorado resident.
Gina Reyes is a child support worker in Durango, 1060 E. 2 nd Ave Durango, CO 81301. .
FACTS PERTAINING TO THE CASE
On or about May 14, 2010, Jacqueline . Hackett filed for divorce from her husband, Clifford "RAY" Hackett She had been (stated to plaintiff) having an affair with Judge John A. Dean.
On this same date, prior to Mr. Hackett being served with divorce papers, Judge Dean ordered that Jacqueline Hackettbe given complete custody of the kids. This occurred the same day her divorce was filed in San Juan County District Court.
Plaintiff was not served with the summons for his divorce until January 16, 2002 when a Marshall broke into his house.
This represents a violation of Supreme Court Rule 1.9 of New Mexico Rules of Professional Conduct for attorneys.
Approximately 99% of the motions filed byClifford "RAY" Hackett were denied or ignored by San Juan County Court since January 16, 2002, when he was served.
Defendant had an affair with Judge Dean, throughout much of the divorce proceedings. Plaintiff has recordings of her admitting it.
Clifford "RAY" Hackettwas severely distraught over the intentional acts of the attorneys and judges in his divorce proceedings. His family had split up and he was blocked from his children for years. The defendants couldn’t have cared less.
Mr. Hackett called the Association for Honest Attorneys for assistance in May, 2006. He was to the point that he felt his life would be better if it ended. The mental anguish and emotional distress of his divorce dragging out for years had taken its toll on his health, and he felt he was dying a slow death.
As a result of the unethical and illegal practices of the defendants in this matter, plaintiff was subjected to such severe emotional distress that no person should have to endure.
The initial filing of the divorce by defendant is invalid due to the lack of service on Plaintiff until January, 2002. Other errors exist in court paperwork.
Plaintiff is justified in his claims involving tort of outrage and outrageous government conduct in this matter. Due to such outrageous government conduct, Plaintifft has been unable to obtain effective assistance of counsel to date and must proceed pro se in this matter.
All of the defendants violated Clifford "RAY" Hackett’s rights under the 5th Amendment by prolonging his legal matter without good cause and with the objective of depleting his assets for their own use. Therefore, the doctrine of special circumstances applies with regard to plaiontiff’s lack of legal representation and his necessity to proceed pro se.
Plaintiff has demanded that defendants take action to make plaintiff whole for his losses. Defendants have refused plaintiff’s demands.
PRELIMINARY STATEMENT
Defendants violated numerous national laws, statutes, ordinances and regulations, including but not limited to: due process, right not to be deprived of property under the 5th amendment (as incorporated to the states through the 14th amendment) and plaintiff’s right to be heard which was denied due to the influence of the court. The overt acts of fraud and collusion in this matter which were engaged in by the defendants to deprive plaintiff of his assets include, but are not limited to: ordering plaintiff to pay child support without a proper basis for doing so. Violations also exist concerning Supreme Court Rule 227, and Mr. Hackett should be reimbursed by the Lawyers’ Fund for Client Protection (LFCP) for the dishonest conduct of the lawyers and judges in this matter.
This case warrants claims involving tort of outrage, bad faith, outrageous government conduct and manifest injustice. The defendant’s acts and failures to act are criminal in nature as they are indicative of legalized stealing from the plaintiff, and depict “the dagger of an assassin” in actions toward him. Accordingly, plaintiff is justified in alleging each of the following claims against the defendant.
CAUSES OF ACTION
Violations of Plaintiffs’ 5th Amendment Rights
(as incorporated to the States through the 14th Amendment)
The conduct of the defendants in depriving plaintifft of his property (income and assets) without due process of law constitutes a violation of plaintiff’s rights under the 5th Amendment to the United States Constitution, as incorporated to the States through the 14th Amendment.
The defendant owed Clifford “RAY” Hackett a duty under the 5th and 14th Amendments not to violate his rights under the United States Constitution as a citizen of the United States. The defendant’s overt acts of fraud denied him due process of law.
Plaintiff relied in good faith that the attorneys, judges and other court officials would act legally and ethically in resolving his child support.
The illegal and unethical conduct of the defendants constitutes denial of plaintiff’s due process rights under the 5th and 14th Amendments to the United States Constitution.
The defendants breached the duty owed plaintiff and willfully deprived him of his property and his right to be heard.
As a result of the defendants’ conduct to deprive Clifford “RAY” Hackett of his due process rights, plaintiff has suffered damages in excess of $75,000.00.
WHEREFORE, plaintiff respectfully requests judgments of the court against all of the defendants awarding to plaintiff (i) damages in excess of $75,000.00; (ii) pre- and post-judgment interest; (iv) costs, including reasonable attorney fees for this action; and (v) any other relief deemed just and equitable by the court.
Civil Conspiracy and/or Collusion
Plaintiff incorporates by reference Exhibit A of this Petition.
WHEREFORE, plaintiff respectfully requests judgments of the court against the above named defendants awarding to plaintiff (i) damages in excess of $75,000.00 for each defendant; (ii) pre- and post-judgment interest; (iii) costs, including reasonable attorney fees, for this action; and (iv) any other relief deemed just and equitable by the court.
Fraud and Misrepresentatoin
Plaintiff incorporates by reference Exhibit A of this Petition.
WHEREFORE, plaintiff respectfully requests judgments of the court against the above named defendants awarding to plaintiff (i) damages in excess of $75,000.00 for each defendant; (ii) pre- and post-judgment interest; (iii) costs, including reasonable attorney fees, for this action; and (iv) any other relief deemed just and equitable by the court.
Intentional Infliction of Emotional Distress
Plaintiff incorporates by reference Exhibit A of this Petition.
WHEREFORE, plaintiff respectfully requests judgments of the court against all of the defendants awarding to plaintiff (i) damages in excess of $75,000.00 for each defendant; (ii) pre- and post-judgment interest; (iii) costs, including reasonable attorney fees, for this action; (iv) injunctive relief enjoining all defendants from continuing the intentional infliction of emotional distress; and (v) any other relief deemed just and equitable by the court.
DEMAND FOR JURY TRIAL
Plaintiff respectfully requests that the issues in this matter be heard by a jury.
DESIGNATION OF TRIAL
Plaintiff designates Hawaii as the location for the trial in this matter.
Respectfully submitted,
Clifford “RAY” Hackett
440 Kapiolani, Hilo, hawaii, 96720, Phone: (808)365-9745
By________________________________
Clifford “RAY” Hackett, pro se
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