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JWG LLM IEG V 4 4.6.2016 Final 1 Amend Federal Verifyed Complaint Feb 17, 2014
JWG LLM IEG V 4 4.6.2016 Final 1 Amend Federal Verifyed Complaint Feb 17, 2014
Plaintiff
v.
COMMONWEALTH OF VIRGINIA
Mark Herring
Office of the Attorney General
900 East Main Street
Richmond, VA 23219
Press@oag.state.va.us
(804) 786-2071
LAX MILLER aka- LEAH LAX akaMUGGY CAT aka- BILLY SULLIVAN
Presidential Candidate for 2016
Campaign Headquarters
350 Market Street
Highspire, PA 17304
info@LorettaMiller4President.com
Defendants,
Jointly and Severally, in their Official and Personal Capacities.
Grenadier complains against the captioned Defendants to seek relief for the violation of
Federal and Constitutional rights under Title 42 1983, and under the Bill of Rights the
Four Basic Freedoms are being Violated:
1.
2.
3.
4.
Freedom of speech
Freedom of worship
Freedom from want
Freedom from fear
actions of the Judges beneath them in there subversion. That they are
ultimately responsible for the actions in their courts and both are Jewish and
have allowed Judges under their supervision to rule in Favoritism and
Cronyism and for attorneys to be disingenuous in the documents that they filed
in court, and under Judges order did not file documents entered into the
record in the Plaintiffs file in the Circuit Court of Alexandria. The new
evidence under the Blog, jwgrenadierisalair.blogspot.com and the actual
actions of the Judges shows the collusion and the discrimination against
Plaintiff for being Catholic.
3. Plaintiff through Orders and documents filed in the clerks office the City of
Alexandria and the Supreme Court of Virginia will show the pattern of this Hate
and illegal Treason on the Courts and to Plaintiff.
show the shoddy unlawful and unethical behavior of the above Judges. That
the appearance of Justice is as important as Justice itself the appearance and
actions of the above Judges will show to be willful acts that were and are
malicious, violent, oppressive, fraudulent, wanton, and grossly reckless
because the Plaintiff was Catholic.
4. That the Judges and attorneys have ignored the Laws and Rules of the
Supreme Court of Virginia, the Constitution of Virginia and the United States of
America Constitution.
JURISDICTION AND VENUE
5. This court has original jurisdiction of federal questions pursuant to 28 U.S.C.
1331 1332. The court has supplemental jurisdiction of state claims pursuant
to 28 U.S.C. 1367. Venue is proper in this court pursuant to 28 U.S.C.
1391(b)(2). That Defendant Ilona Grenadier Heckman is a resident of the
District of Columbia since on or around 1986. That Grenadier, Anderson,
Starace, Duffett & Kiesler have licensed attorneys in the District as well as
several other states and do business in the District of Columbia and
surrounding states making this a multi-jurisdictional matter which this court has
jurisdiction and authority. This court has jurisdiction under FRCP Rule 1, 2, &
3 and 28 U.S.C. 45.
3
Further this court has Jurisdiction per: 28 U.S.C. 1343(a)(3) (1993) provides as follows:
(a) The district courts shall have original jurisdiction of any civil action authorized by law to be
commenced by any person: . . . (3) To redress the deprivation, under color of any State law,
statute, ordinance, regulation, custom or usage, of any right, privilege or immunity secured by
the Constitution of the United States or by any Act of Congress providing for equal rights of
citizens or of all persons within the jurisdiction of the United States.
28 U.S.C. 1331 (1993) provides that district courts shall have original jurisdiction of all civil
actions arising under the Constitution, laws or treaties of the United States
a) The district courts shall have original jurisdiction of any civil action authorized by law to be
commenced by any person: (1) To recover damages for injury to his person or property, or
because of the deprivation of any right or privilege of a citizen of the United States, by any act
done in furtherance of any conspiracy mentioned in section 1985 of Title 42; (2) To recover
damages from any person who fails to prevent or to aid in preventing any wrongs mentioned in
section 1985 of Title 42 which he had knowledge were about to occur and power to prevent;
(3) To redress the deprivation, under color of any State law, statute, ordinance, regulation,
custom or usage, of any right, privilege or immunity secured by the Constitution of the United
States or by any Act of Congress providing for equal rights of citizens or of all persons within the
jurisdiction of the United States; (4) To recover damages or to secure equitable or other relief
under any Act of Congress providing for the protection of civil rights, including the right to vote.
Any Act of Congress applicable exclusively to the District of Columbia shall be considered to be
a statute of the District of Columbia.
PARTIES
Court, Involvement of Forgery, Theft of money from the Sonia Grenadier Trust
account through her law office for great personal gain over $10 Million in Real
Estate, Theft of Herman Grenadier, malpractice, Bribery, Abuse of her Oath of
Office, Conspiracy, Collusion, Miscarriage of Justice, preventing Due Process,
conflict of interest related to the practice of law, violating code of ethics, has
liability to her victims, has violated Plaintiffs Religious, Political, United state
Constitutional, Virginia Constitutional and Civil Rights, Breach of Fiduciary
Duties, RULES OF PROFESSIONAL CONDUCT, Title 18 US code 241
Conspiracy against rights, and 242 Deprivation of rights under color of law,
Retaliatory & Retribution actions, Treason, Title VI Civil Rights Act of
1964 Title VI, 42 U.S.C. 2000d et seq., was enacted as part of the landmark
Civil Rights Act of 1964, 18 USC 912. With her Intention to 18 USC
1341 -Frauds and swindles, Defraud, Breach of
Contract, Arbitrary and Capricious behavior, Committed Fraud on the Court,
18.2-498.3. Misrepresentations prohibited, 18.2-172 - Forging, uttering, etc.,
other writings et al. All of above charges will be proven with letters,
documents, witnesses who have also been harmed by the actions of
Defendant Ilona.
THE ABOVE IS THE MOTIVATION OF ILONA GRENADIER HECKMANS
going to the extremes that she is to stop the Truth from coming in front of a
Judge. All actions from the IGH and her firm have been willful acts that were
and are malicious, violent, oppressive, fraudulent, wanton, and grossly reckless.
That if tried as Jim Arthur did 5 years in jail, could go to jail and loose her license
to practice law. The VSB is ignoring her actions as she with the interest off her
Trust account, dues and other donations pays the salaries of the employees of
the Virginia State Bar. Ben DiMuro her lawyer is a past President of the VSB and
has donated 10% of his estate to them when he dies
.
9. Defendant GRENADEIR ANDERSON STRARACE DUFFETT & KEISLER,
PC (GAS) a law firm in Virginia with licensed partners in the District of
5
attorneys and their representatives will show to have been willful acts that
were and are malicious, violent, oppressive, fraudulent, wanton, and grossly
reckless. Justice is supposed to be blind. In Bullock v. United States, 763 F.2d
1115, 1121 (10th Cir. 1985), the court stated "Fraud upon the court is fraud
which is directed to the judicial machinery itself and is not fraud between the
parties or fraudulent documents, false statements or perjury. ... It is where the
court or a member is corrupted or influenced or influence is attempted or
where the judge has not performed his judicial function --- thus where the
impartial functions of the court have been directly corrupted." But not only are
trial judges required to be fair and impartial, they must also 'satisfy the
appearance of justice. The trial judge's 'appearance,' or conduct and behavior,
appearance of bias alone is grounds for reversal even if the trial judge is, in
fact, completely impartial.
11. LORETTA LAX MILLER aka- LEAH LAX aka-MUGGY CAT aka- BILLY
SULLIVAN (LLM et al) Presidential Candidate for 2016 Emails will show
started stalking JWG in May of 2013, is involved in stalking, hacking of
Plaintiffs computer and e-mail. Is responsible for the
jwgrenadierisalair.blogspot.com. That she has on her personal and others to
campaign Facebook, Twitter and Blogs supported the site since the start of it.
That her personal comment on the first written page is similar to other behavior
in e-mails of hers to try and act as if she is not Muggy Cat or Billy Sullivan
emails will show how this can be and should be questioned. All actions will
show to have been willful acts that were and are malicious, violent, oppressive,
fraudulent, wanton, and grossly reckless.
The Stalking and Malicious Treatment of Plaintiff by Defendants Ilona and
Defendant Leah Lax et al along with others This e-mail alone sent by Presidential
Candidate for 2016 with the collusion of lawyer Ilona Ely Freedman Grenadier and
other e-mails that were falsified in a website jwgrenadierisalair.blogspot.com say
Plaintiff is racist against others is enough to prove liable intent Yet Plaintiff has
supplied other evidence in her defense. This e-mail is not the only one Plaintiff will
7
enter into evidence at the appropriate time several e-mails similar in nature to this.
The Hate defendants have for Catholics, Christians, Muslims, Homosexuals and with
the picture of and the talk of First Lady Michele Obama having a penis you could
add in my opinion African Americans. No matter what your opinion on Hillary Clinton
or Michele Obama are the disrespect is disgusting and according to the law liable.
From:
LeahLax1234@aol.com <LeahLax1234@aol.com>
To: jwgrenadier@gmail.com
To: jwgrendier@gmail.com
you know what YOU DIDN"T HELP JEWS
TURN THEM IN BECAUSE ONE PERSON DID SOMETHING TO YOU THAT WAS JEWISH.
YOU MADE YOUR BED AND YOU LIED IN IT ! THIS FAMILY REJECTED YOU FOR NOT BEING
GET OFF YOUR ASS. GOOD YOU LOST ALL YOUR MONEY MAKES YOU HUMBLE. AND GOOD
YOU GOT A WHIPPING FROM A JEWISH LAWYER WHO WAS SMARTER THEN YOURS. GOOD
FOR HER. I WOULD HIRE HER IN A HEART BEAT. SHE WENT AFTER A JEW HATING NAZI AND
SHE WON. AND I HOPE SHE GAVE HER GRANDSON A GOOD TALKING TO FOR MARRYING A
GOY IN THE FIRST PLACE AND HE SHOULD HAVE KEPT HIS ZIPPER UP AND NOT HAVE HAD
SEX WITH A MENTALLY SICK PIECE OF CRAP LIKE YOU.
Plaintiff as Billy Sullivan aka Muggy Cats that she was going to harm herself for me?
The following initials have been used FBI (Federal Bureau of Investigations),
JWG(Janice Wolk Grenadier), LLM /MC (Leah Lax aka Muggy Cats/ Billy Sullivan)
The e-mails that are missing Plaintiff has copies of but, have been deleted off her
computer by all appearance Leah Lax et al which it will be shown in court has
hacked Plaintiffs computer. The e-mails will show that Plaintiff contacted the FBI
even though all the evidence pointed to one more of Defendant Ilona lawyers games
in trying to intimidate Plaintiff and to supple information to Circuit Court Judges in the
hopes of destroying Plaintiff. Plaintiff cooperated with the FBI in regard to Leah Lax
et al and her game.. All e-mails will prove that Plaintiff has never lowered herself to
the level of Defendants. Plaintiff doesnt have to because Plaintiff has the TRUTH
Date
Ti
me
Fro
m
To
Sat
Dec
28,
2013
12.
18
pm
Mu
ggy
Cat
s
(M
C)
JWG
hello janice
i have been following you for about 1/2 year and i find your
story amazing. i can relate to these jews attacking you and
we need to do something about getting these hebs out of
our christian country.
these hebs are nothing but trouble makers who have been
kicked out of countries in europe you as an attorney are
on the right track . we should all buy guns to defend
ourselves against theLeah Lax -aka- Muggy Cats -aka- Billy
Sullivan -aka- Loretta Miller se money grubbing kikes and
fnish the jewish solution.
im all for you kid
in the name of jesus christ our savior bless you and merry
christmas
billy sullivan
12.
58
pm
JW
G
MC
Billy,
Thank you for your support. It is not easy going
through this - But, I want to stress to you - This
issue needs to be dealt with through the law. We
are lucky we live in a Country - even though it is
corrupt in many ways that this can be settled
MC
JWG
8.2
6
pm
JW
G
MC
Billy,
I apologize for not getting back to you sooner this had gone into spam? But, please lets not get
violent You know here is someone who has worked her
whole live for a goal - and a stupid moment with
those e-mails she has lost everything.
Again - I am grateful to you for your support - But,
harming someone else is not something I could
ever do - and please don't you do it either Can you believe it just a few more days and it will
be a New Year -
10
Warmly,
jw
Saturd
ay
Dec
28,
2013
11.
56
pm
MC
JWG
janice it's too late. i found out where she lives in florida
as well as her headquarters in pa. and you said she
hates catholic's and christians it's right in your blogs i
have been following. i too hate jews all jews , the wheel
is in motion. and you know what she's friends with that
darkie west. that jew is so easy to pick out. you said on
your site she hates catholics and christians that means
she hate our savior . i want to get her before someone
else does. i want this glory for jesus and the patriots.
thank you for directing me on my path of
righteousness. for the glory is in our lord and savior.
you are our new virgin mary who guide us into the light
of salvation.
billy
Sunda
y
Dec
29,
2013
8.4
6
am
JW
G
MC
Billy,
You have to STOP what ever you have
started. We need to fight this through the
press. What I said and if you read her e-mails
that is the appearance that she dislikes
Catholics, Christians, Muslims - They are her
words and she will never win as President for
them - We have to fight this through the press and the legal system - Don't ever give anyone the
power because of words over you to make
choices that can harm you. That choice could
harm you. Please don't do anything that can harm
you - Fight this as others have peacefully fought Through the press - and the judicial system - She
is a piece of dirt that isn't worth getting yourself
into any trouble - PLEASE - you are better then
this Warmly,
jw
10.
13
am
MC
JWG
jancie look lady you started it, i read her blogs and her
site and i can not see a thing of hate . she quoted
articles and nothing else. but she is a jew and you want
her destroyed by the press? you are the cause of me
wanting to take action. you said it was from foolish
comments back and forth if they were foolish then you
shouldnt have gone after her. you have another deep
underlying agenda, according to the your quotes she
11
JW
G
MC
Billy,
I did not start this - and interesting all the
information you have and alot of it is off on the
Truth and the true facts I do not hate anyone - Hate is an emotion that
harms - and I am not wasting my time on that type
12
JW
G
FBI
11.
01
JW
G
FBI
randy.sengel
randy.sengel
11.
07
11.
28
JW
G
MC
F JWG
B
I
13
11.
39
JW
G
MC
5278
You are right I didn't respond - he harmed me and at the time I did not have the strength to fight
it - He is not a nice man and if you want to make
that public - go ahead it is already public - and I
do now have the strength to put out their what
happened - How could I have lied if I didn't
answer?
Again how do you know Ilona - This is not the first
time someone has tried to do just what you are
trying to do Ilona has tried all kind of e-mails and using all
kinds of people James Warbasse is not a nice person - and I have
the proof of that - So you go for it -
11.
41
JW
G
FBI
JW Grenadier
No don't but, we have had more e-mails and I
believe he may be a set up as my x-mother - in law has done to me several times in the past 20
years
He reached out to me - my computer is hacked
into - it could be him or someone in collusion with
Ilona Ely Freedman Grenadier Heckman JW Grenadier
11.
45
JW
G
FBI
14
11.
48
JW
G
FBI
JW Grenadier
202-368-7178
Here is the information from his e-mail - I tried to
look up the IP address and it looked like NJ
Return-Path: <MuggyCatScreams@aol.com>
Received: from coremfc004a.r1000.mail.aol.com (coremfc004.r1000.mail.aol.com [172.29.120.15])
by mtaomg-mca02.mx.aol.com
(OMAG/Core Interface) with ESMTP id
9EBB338000086
for <Jwgrenadier3@aol.com>; Sat, 28
Dec 2013 12:18:44 -0500 (EST)
From: MuggyCatScreams@aol.com
Full-name: MuggyCatScreams
11.55
JW
G
FBI
15
b=VmPYKo7PHrgm3gZ2rO/t5pi2WC1v+dkZ4g
w7z+nKfdhHs1HEKkSFjBF3kKcm3twlF
9WmZPrKTfWgU+YPUw5tXrovkhZYLOFozom4TFCmlqNbS
JoOXg4Jgj/4L6yYRsaWq5N
UtfIRSe1RP83TDhNkf3vZXvNDMpsdzC+j5jqvIBk=
x-aol-sid: 3039ac1add5052c04b76141d
JW
G
FBI
16
MC
JWG LLM
let me get out the smallest violin and play it. you need help
and janice is paranoid too are you drunk most of the time?or
on drugs?.everyone is not a nice person but you. and you
go after the people who piss you off , dont agree with you
and YOU stalk them. i am the press! no i am going to make
it public you are crazy and go after innocent people.what do
you have 20-30 people on your the list 1/2 dont even know
you 1 who became your victim because she is running for
office and a jews. you made it very clear she is dirt. you
dont know her you never met her i did and she is a lovely
lady. she directed the goy comment to you and to you only.
she called you stupid because you are. she said you are
thick headed because you are! you also said "and a
you lost it
17
JW
G
MC FBI
12.29
MC
JWG
12.36
MC
JWG / FBI
to the fbi agent who ever you are. this janet has stalked
esteemed judges, wrote lies and i was on an under cover
mission to get information on her intentions and where her
insane mind has been. please ignore her she is a
pathological liar
12.37
JW
G
FBI / MC
12.39
LL
M
MC / JWG / FBI
18
let me get out the smallest violin and play it. you need help
and janice is paranoid too are you drunk most of the time?or
on drugs?.everyone is not a nice person but you. and you
go after the people who piss you off , dont agree with you
and YOU stalk them. i am the press! no i am going to make
it public you are crazy and go after innocent people.what do
you have 20-30 people on your the list 1/2 dont even know
you 1 who became your victim because she is running for
office and a jews. you made it very clear she is dirt. you
dont know her you never met her i did and she is a lovely
lady. she directed the goy comment to you and to you only.
she called you stupid because you are. she said you are
thick headed because you are! you also said "and a
you lost it
19
Return-Path: <LeahLax1234@aol.com>
Received: from coremge001c.r1000.mail.aol.com (coremge001.r1000.mail.aol.com [172.29.238.65])
by mtaomg-mcd02.mx.aol.com
(OMAG/Core Interface) with ESMTP id
8E4A038000081;
Sun, 29 Dec 2013 12:39:43 -0500
(EST)
From: LeahLax1234@aol.com
Full-name: LeahLax1234
Message-ID:
<b8c81.6335a07e.3ff1b85f@aol.com>
Date: Sun, 29 Dec 2013 12:39:43 -0500 (EST)
Subject: Re: i agree with you
To: muggycatscreams@aol.com,
jwgrenadier3@aol.com
MIME-Version: 1.0
12.42
MC
12.42
JW
G
JW
G
JW
G
MC
MC / FBI
JW
G
JW
G
JW
G
FB
MC FBI LLM
FBI
4.14
JW
G
MC
4.16
MC
JWG and -
12.47
12.50
1.12
1.23
2.02
3.34
3.58
4.11
FBI
FBI
FBI
20
4.24
JW
G
MuggyCatScream
s
<MuggyCatScrea
ms@aol.com>;
and the above emails
LeahLax1234@aol.com <LeahLax1234@aol
.com>
24,
201
3 at
2:0
5
PM
To: jwgrenadier@gmail.com
21
MC
8.55
JW
G
MC
MC
JWG
3.26
am
MC
JWG
Hey Helga Fugly I got a new blog for you to cry about. Need
a tissue for your daddy issue?
http://jwgrenadierisalair.blogspot.com/2013/12/episode-3foul-mouthed-raving-baboon.html
7.44
JW
G
To
10.09
Mo
n
Dec
30,
201
3
muggycatscreams muggycatscreams@aol.com,
igrenadier igrenadier@vafamilylaw.com, bdimuro
bdimuro@dimuro.com, leahlax1234
leahlax1234@aol.com, washington.field
washington.field@ic.fbi.gov, randy.sengel
randy.sengel@alexandriava.gov, "\"james.young <james.young\""
<"james.young <james.young" "\"james.young
<james.young\"" <"james.young
<james.young"@alexandriava.gov, "\"LMManitta <LMManitta\""
<"LMManitta <LMManitta" "\"LMManitta
<LMManitta\"" <"LMManitta
<LMManitta"@rrmdk.com, "\"bdimuro <bdimuro\"" <"bdimuro
<DelWCleaveland"@house.virginia.gov, "\"delwhowell
<delwhowell\"" <"delwhowell <delwhowell" "\"delwhowell
<delwhowell\"" <"delwhowell
<delwhowell"@house.virginia.gov, "\"DelACrockett-Stark
<DelACrockett-Stark\"" <"DelACrockett-Stark <DelACrockett-Stark"
"\"DelACrockett-Stark <DelACrockett-Stark\""
<"DelACrockett-Stark <DelACrockettStark"@house.virginia.gov, "\"DRobelen <DRobelen\"" <"DRobelen
<DRobelen" "\"DRobelen <DRobelen\""
<"DRobelen <DRobelen"@courts.state.va.us, "\"drewh
<drewh\"" <"drewh <drewh" "\"drewh <drewh\""
<"drewh <drewh"@patch.com
JW Grenadier aka
Janice Wolk Grenadier
Monday, December 30, 2013
23
24
serious?"
muggy cat
View my complete profile
Blog Archive
2013 (4)
o December (4)
Episode 3: The Foul Mouthed
Raving Baboon Strikes ...
The latest of the WACKO blogs of
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has her granny pa...
26
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118
The above e-mail strand shows the actions of Leah Lax et al is one in the same Muggy
Cats / Billy Sullivan. That Plaintiff concerned for Leah Lax et al contacted the FBI to
keep her safe. That the personal actions of Leah Lax et al are willful acts that were
and are malicious, violent, oppressive, fraudulent, wanton, and grossly reckless.
that Plaintiff will show she worked in collusion with Defendant Ilona a lawyer.
12. CAMPAIGN FOR LORETTA LAX MILLER and all employees/volunteers
LLM et al has made statements on her Blog, Twitter and Facebook thanking
by all appearance her campaign/employees/volunteers in slandering and
deformation of JWG. All actions from the campaign have been willful acts that
were and are malicious, violent, oppressive, fraudulent, wanton, and grossly
reckless.
That Plaintiff will be able to show that Leah Lax et al and her Campaign is a
Fraud. She has yet to file a Financial disclosure with the FEC and collecting
donations since 2011, and has several outlets that she is collecting money for
her campaign this is a quote off of her Piryx site.
I affirm that the following statements are true and accurate:
Contributions to LORETTA MILLER are not deductible as charitable contributions for
federal income tax purposes. Contributions from foreign nationals and federal
government contractors are prohibited. LORETTA MILLER is registered with the Federal
Election Commission as an independent expenditure committee. Accordingly, we may
accept unlimited contributions from individuals, corporations, and other
organizations. Your contribution is not subject to FEC limits. LORETTA MILLER
spending is independent, and it does not make contributions to, or coordinate its
spending with, any candidates or political parties
27
BACKGROUND
13. Plaintiff incorporates herein by reference all of the allegations contained in
Paragraphs 1 through 13 of this Complaint. Plaintiff incorporates the
Emergency Restraining Order and Injunction filed on January 22, 2014 along with the
notarized Filed Complaint with the FEC filed with the Emergency Restraining Order and
Injunction.
History Plaintiff in September of 2007 went to Court in the City of Alexandria
Virginia. Plaintiff had followed all the rules of filing and service. Defendant Ilona a
lawyer lied in court to the Judge, and the Judge reprimanded Plaintiff telling her not to
re-file until October 2007. Plaintiff that night met a Federal Judge from this court. He
informed Plaintiff of her rights He informed Plaintiff You shouldnt be crying you
should be rejoicing You have just won your case No Judge likes a lawyer lying to
him in court on a napkin he outlined what I was going to put in Plaintiffs Motion for
Default. That Motion for Default was not heard until December of 2007 when the
Judges could find a retired Judge to rule in the favor of Defendant Ilona this practice
would continue and continues today. The Judges and the evidence shows this is not
the last time the documents and statements in court by Defendant Ilona and others
have not been disingenuous all the way to the Supreme Court of Virginia. The slippery
slope that would open up the truth of how Plaintiff since October of 1985 had
been manipulate and that the actions were and are still willful acts that are
malicious, violent, oppressive, fraudulent, wanton, or grossly reckless. The Law is
very clear that the Judges who have acted by ruling in Favoritism and Cronyism and not
by the Rules of the Supreme Court. Any judge who does not comply with his oath to
the Constitution of the United States, wars against that Constitution and engages in
violation of the Supreme Law of the Land. If a judge does not fully comply with the
Constitution, then his orders are void, In re Sawyer, 124 U.S. 200 (1888), he is without
jurisdiction, and he/she has engaged in an act or acts of treason. U.S. v. Will, 449
U.S. 200, 216, 101 S. Ct. 471, 66 Ed.2d 392, 406 (1980); Cohens v. Virginia, 19 U.S.
(6 Wheat) 264, 404, 5 L.Ed 257 (1821)
28
Plaintiff is aware of and understands the difficulties for any Judge in this case. But, the
law has been abused and broken by the State of Virginias judicial system and Plaintiff
will be able to show this is not a unique situation but, normal practice in the State of
Virginia. The difference is they have not been able to kill Plaintiff or break Plaintiff, and
Plaintiff prays this court look at the evidence in documents and gives Plaintiff the right to
be heard. No man in this country is so high that he is above the law. No officer of the
law may set that law at defiance with impunity. All the officers of the government from
the highest to the lowest, are creatures of the law, and are bound to obey it. Butz v.
Economou, 98 S.Ct. 2894 (1978); United States v. Lee, 106 U.S. at 220, 1 S.Ct. at 261
(1882) Further it is the obligation of every Judge to honor, abide by, and uphold not
only the Constitution and laws of the State, but they are bound by the laws and
Constitution of the United States as well. State courts, like federal courts, have a
constitutional obligation to safeguard personal liberties and to uphold federal law.
Stone v Powell, 428 US 465, 483 n 35, 96 S. Ct 3037, 49 L Ed. 2d 1067 (1976)
Whenever any officer of the court commits fraud during a proceeding in the court,
he/she is engaged in fraud upon the court. In Bulloch v. United States, 763 F.2d
1115, 1121 (10th Cir. 1985),
The Constitution of the United States A fundamental, guarantee that all legal
proceedings will be fair and that one will be given notice of the proceedings and an
opportunity to be heard before the government acts to take away one's life, liberty, or
property. Also, a constitutional guarantee that a law shall not be unreasonable,
Arbitrary, or capricious.
The constitutional guarantee of due process of law, found in the Fifth and Fourteenth
Amendments to the U.S. Constitution, prohibits all levels of government from arbitrarily
or unfairly depriving individuals of their basic constitutional rights to life, liberty, and
property. The Due Process Clause of the Fifth Amendment ratified in 1791, asserts
that no person shall "be deprived of life, liberty, or property, without due process of law."
This amendment restricts the powers of the federal government and applies only to
actions by it. The Due Process Clause of the Fourteenth Amendment, ratified in 1868,
declares,"[N]or shall any State deprive any person of life, liberty, or property, without
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due process of law" ( 1). This clause limits the powers of the states, rather than those
of the federal government.
Plaintiff can show harm and the harm that has forever been done to her from the actions
of the above Defendants. Plaintiff may not have put all information in the best order
but, has done the best she can do. She has done it with a pure heart and honest way
and still has not had her day in court to be heard. Plaintiff has still had not had due
process Boddie v. Connecticut, 401 U.S. 371 (1971), was a case before the United
States Supreme Court giving the right to due process and to be heard.
Plaintiffs ability to perform simple every day work has been stripped of her by the
actions of the above Defendants with her social media, her computers and e-mail being
hacked and this court is looking the other way.
Claim 1
Breach of Contract Implied Covenant of Good Faith and Fair
Dealing Breach of Contractual Duty of Good Faith and Fair Dealing
14. Plaintiff incorporates herein by reference all of the allegations contained in
Paragraphs 1 through 14 of this Complaint
15. By virtue of the facts stated above, defendants have violated their contractual
duty of good faith and fair dealing. Plaintiff has paid fees to these courts and
not received Due Process.
16. The above defendants and defendants representatives breached their
contractual duty of good faith and fair dealing when Judges ruled in Favoritism
and Cronyism. When Judges did not have Jurisdiction and chose
friends/other Judges who would not follow the rules but would rules as told.
17. That the above defendants Breach of Contract includes not limited to their
involvement being disingenuous in documents filed with the courts and
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Orders. The documents will speak for themselves the defendants were aware
of these breaches as lawyers and Judges.
18. Plaintiff through implied covenant of good faith and Fair Dealing continued to
follow the Rules of the Courts.
19. The defendants flagrantly violated their Fiduciary responsibility to the
Judicial System and Plaintiff to deal in Good Faith while Plaintiff continued to
deal in Good Faith. The actions will be proven factually by Orders, Letters,
Documents filed in the court and other. That the constitutional Right of Due
Process has been denied time and time again.
Claim 2
Violation Title 42 1983 Civil Rights Statue
Civil Rights Act of 1968 enacted 18 USC 245
20. Plaintiff incorporates herein by reference all of the allegations contained in
Paragraphs 1 through 19 of this Complaint
21. Defendants used unfair/unconscionable means to try and intimitad and scare
Plaintiff They have acted as the Klue Klux Klan would have in the past.
Plaintiff is aware that Plaintiff must show that Plaintiff can prove each element
of alleged facts in her claims. That to seek relief for the violation of a persons
Federal and Constitution rights under Title 42 1983 it allows Plaintiff to her
rights contained in the United States Constitution as defined by Federal Law.
22. Plaintiff has been discriminated against for being Catholic That Civil Rights Act
of 1968 enacted 18 USC 245 prevents discrimination due to Religion That this
is a Hate Crime and Hate crime laws are colorblind Fact the case which the
Supreme Court upheld hate crimes of the First amendment attach, Wisconsin
v. Mitchell, 508 U.S. 476(1993) involved a white victim.
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23. Plaintiff has been discriminated against for being black balled by the Old
Boys Network / Judicial Community due to her x-husband being the son of the
late Judge Albert Grenadier whom was the Husband to Defendant Ilona a
lawyer who has also intervened into Defendants Divorce. That the
discrimination and segregation among white exist the power Hierarchy
by a member of one that is considered by others inferior to the other.
Claim 3
Consumer Protection Act
24. Plaintiff incorporates herein by reference all of the allegations contained in
Paragraphs 1 through 24 of this Complaint.
25. The State of Virginia was paid for serves in the Court that were denied
Plaintiff because she was Catholic. That the discrimination and segregation
among white exist the power Hierarchy by a member of one that is considered
by others inferior to the other.
Claim 4
Breach of Fiduciary Duty
Unjust Enrichment/Constructive Trust
26. Plaintiff incorporates herein by reference all of the allegations contained in
Paragraphs 1 through 26 of this Complaint
27. That the State of Virginia had a Fiduciary Duty to insure the rights and safety
of Plaintiff in the and through the Court system. Plaintiff has been harmed by
the false statements which are considered defamatory that Plaintiff has
THE TRUTH which is an absolute defense . That the First Amendment of
the U.S. Constitution was designed to protect Freedom of the press. The 1964
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case New York Times Co. v. Sullivan radically changed the nature of libel law
by establishing a suit for libel you needed to prove that the information was
wholly and patently false or that it was published with reckless disregard of
whether it was false or not
Claim 5
Injunctive / Declaratory Relief
28. Plaintiff incorporates herein by reference all of the allegations contained in
Paragraphs 1 through 28 of this Complaint
29. That Plaintiff now needs to pray this court grants temporary or permanent
injunctive relief as Plaintiffs reputation has been harmed for life. That Plaintiff
as anyone else in the United States should have easy and fair access to the
courts. That no one should be denied access and fair treatment due to race,
age, sexual orientation.
30. To warrant preliminary injunctive relief, the moving party must show
A. Substantial likelihood of success on the merits Plaintiff believes she
has provided this court with the information needed to outline the actions
of both defendants and the Criminal actions of all the Defendants along
with documentation that should without doubt assure this court
B. That she would suffer irreparable injury if the injunction were not
granted Plaintiff has a child friendly product that has been for ever
harmed by the loss of Social Media, the blog
jwgrenadierisalair.blogspot.com the e-mails that were created by or from
the hacking of Plaintiffs computer that state the following AGAIN
PLAINTIFF HAS NEVER SAID THIS! Plaintiff WILL BE PROVE These emails to BE THE FRIVOLOUS imaginative of Defendants to permanently
harm Plaintiff. Just the name of the blog itself is offensive and
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Warmly,
JW Grenadier
This letter came to us here at Muggy Cat at 9:45 PM EST. Doesn't this show the kind of
obsession that Janice Wolk Grenadier has against anyone that doesn't agree with her. What is
next? Is she going to go after our families? However she went after her family or should we say
ex-family who disowned her. We have posted previous letters that Janice Wolk Grenadier had
sent to her family in previous blog posts.
Now here is something really funny and intersting about Janice Wolk Grenadier. Well actually a
few funny things. Today she was seen naked in her back yard building an ice alter to her Dark
Lord Satan. She was doing this in the freezing rain. The scary part was she had icicles hanging
from her oversized nipples and from her pubic hair. She then took a large icicle and began to
masterbate with it until it melted.
A neighbor had seen Janice Wolk Grenadier walking out of a sex shop Friday night with a large
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bag filled with sex toys and two very large women who looked like Amazons. They were seen
driving to a gay bar in which Janice and the two women frequent and have pajama parties
afterwards. She left Saturday morning with her hair disarray and a smile on her face. A dog
collar could be seen around her neck and welts on her arms and legs. We don't think she is the
dominant one in this relationship. Family services should have taken her kids away from her
years ago. She neglected them for her sexual pleasures and alcohol addiction.
Janice Wolk Grenadier adores her Fuher Adolf Hitler who was also bi-sexual. Janice Wolk
Grenadier has been seen wearing a painted on mustache just like her idol and walking around
This classless woman should be put away in a padded cell so she can't hurt anyone else.
Someone please call the authorities to have her institutionalized for her safety and for the safety
of others. Remember she carries a gun!
Obama stands for is to destroy American Family Values and Janice has no values and worships
Satan.
We at Muggy Cat take the religious stand that Janice is the Anti Christ and does not beleive in
God and the wonders God has done on this Earth. Maybe Janice should move to sin city Las
Vegas and sell her soul as well as her fugly body on the strip since she is whoring for Satan.
-----Original Message----From: JWG <jwgrenadier3@aol.com>
To: muggycatscreams <muggycatscreams@aol.com>; leahlax1234 <leahlax1234@aol.com>
Sent: Wed , Jan 1, 2014 10:45 am
Subject: Re: i agree with you
You FUCKEN JEWS!!!!!! ALL OF YOU . DICK FARREL JOSH COHEN, LEAH LAX AKA
LORETTA LAX MILLER AND THE REST OF YOU FUCKEN 30 JEWS. Hitler was right!
Ya'll deserve to die! YOU SHOULD BE PLACED IN A BIG OVEN.
Warmly,
JW Grenadier
We hope that you join us on Friday, January 10th, 2014 outside of Janice Wolk Grenadier's
house to protest her anti-American pro-Satan values. Email us at muggycatscreams@aol.com for
Janice Wolk Grenadier's address. We are expecting at least 200 people so don't forget to
bring Holy Water from your church to purify and sactify the land of the supporter of the Anti
Christ and the mother of the vessel of Satan. We will have a prayer session to pray for her lack of
soul but do not look her straight in the eyes or you will be turned to stone.
Posted by muggy cat at 8:48 AM
Email ThisBlogThis!Share to TwitterShare to Facebook Labels: CIA, FBI, Hillary Rodman
Clinton, Janice Wolk Grenadier, KGB, leah lax, MI5, MI6, My Pillow Pack, Obama, virginia
law 2010
That the above is just 3 pages out of almost 200 printed out pages of slander and
Libel of Plaintiff by Defendants. Plaintiff felt the e-mails that bear her name THAT
PLAINTIFF DID NOT WRITE should hold a lot of wait in what Plaintiff will be able to
prove.
C. That an injunction would not substantially injure other interested
parties and This blog has hurt no one but Plaintiff and her ability to
market and advertise a Child Friendly product. This blog and other
actions were deliberate willful acts that are and were malicious, violent,
oppressive, fraudulent, wanton, or grossly reckless. That the hacking and
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36. The actions of the actors to cause this emotional distress were malicious,
violent, oppressive, fraudulent, wanton, or grossly reckless.
Claim 8
Constructive Fraud
37. Plaintiff incorporates herein by reference all of the allegations contained in
Paragraphs 1 through 37 of this Complaint
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Freedom of speech
Freedom of worship
Freedom from want
Freedom from fear
Plaintiff will show the actions of the Defendants were actions that were willful acts were
malicious, violent, oppressive, fraudulent, wanton, or grossly reckless That the
defendants were acting under the color of State and Federal law. That the Constitutional
Rights of due process are factual allegations that will be proven through documents,
letters, e-mails and actions of defendants. That defends had been given notice, and
this court is aware of with the threat from Defendant Ilonas attorney. That Defendants
never filed a response, in regard to the Restraining Order and Injunction. Defendants
were notified on or around January 22, 2014 and Order was not written until January 31,
2014 with NOT ONE Defendant responding or disputing Plaintiffs facts.
47. Plaintiff incorporates information filed in this court:
January 23, 2014 Emergency Restraining Order w/FEC Complaint
January 24, 2014 Verifyed Compliant - to be amended
January 24, 2014 Request for Emergency restraining Order and Injection with other
Evidence
January 31, 2014 2nd Request for Emergency Restraining Order and Injunction with
Other Evidence
February 2, 2014 3rd request for Emergency Restraining Order and Injection with Other
Evidence and to go in front of a Judge.
February 3, 2014 Motion to be heard by a Judge
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J. Grant to Plaintiff such other and further relief as this Honorable Court
may deem just and proper under the circumstances, including but not
limited to appropriate injunctive relief.
JURY TRIAL
Plaintiff demands a jury trial, pursuant to the Seventh Amendment to the United
States Constitution.
Date: February 17, 2014
Respectfully submitted,
/S/_____________________________
Janice Wolk Grenadier
15 West Spring Street
Alexandria, Virginia 22301
Telephone (202) 368-7178
Email jwgrenadier@gmail.com
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igrenadier@vafamilylaw.com
703-683-9000
GRENADEIR ANDERSON STRARACE DUFFETT & KEISLER, PC
649 S. Washington Street
Alexandria, VA 22314
703-683-9000
COMMONWEALTH OF VIRGINIA
Mark Herring
Office of the Attorney General
900 East Main Street
Richmond, VA 23219
Press@oag.state.va.us
(804) 786-2071
LORETTA LAX MILLER aka- LEAH LAX akaMUGGY CAT aka- BILLY SULLIVAN
Presidential Candidate for 2016
Campaign Headquarters
350 Market Street
Highspire, PA 17304
info@LorettaMiller4President.com
CAMPAIGN FOR LORETTA LAX MILLER
And all employees/volunteers
350 Market Street
Highspire, PA 17304
DEFENDANTS - Jointly and Severally,
in their Official and Personal Capacities.
CERTIFICATE OF SERVICE
Where is Plaintiff on February 17, 2014 Amend Verified Complaint. That Service
to the following Defendants will be done through e-mail to the above known
address of defendants until other service is required by law.
Date: February 17, 2014
Respectfully submitted,
/S/_____________________________
Janice Wolk Grenadier
15 West Spring Street
Alexandria, Virginia 22301
Telephone (202) 368-7178
Email jwgrenadier@gmail.com
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