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 'Ted' Theodore Lewis Whidden

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     Exposing Fraud and Deception to protect the public good.

    www.frauddocumentation.com     www.frauddemonstration.com    www.frauddevelopment.com  

IN THE CIRCUIT COURT OF THE 14th

JUDICIAL CIRCUIT IN AND FOR

JACKSON COUNTY, FLORIDA

CASE NO: 15-276CF

State of Florida

                v.

Theodore L Whidden

                Defendant.

_______________________________/

 

 

 SEQ CHAPTER \h \r 1 MOTION FOR SANCTIONS AGAINST OPPOSING COUNSEL(2)

 

The Defendant files “Pro Se” due to the corrupt nature of Counsel H. Guy Green as appointed by the State as “Public Defender” see “Motion for Sanctions against Counsel” previously filed.

1)      State’s Attorney knowingly and with forethought is operating as central figure in a Criminal Conspiracy of their own making as outlined in their own file and in part in the attached Ethics Filing against Ana Maria Garcia (Florida Bar 577162).

2)      State’s Attorney operatives are well outside their jurisdiction and lawful pursuit thus negating any perceived “protections” for their criminal activity, Abuse of Process and Malicious Prosecution.

3)      Ana Maria Garcia is the supervisor of the reckless behavior of her subordinate Laura Wahlquist subject of additional filings, offenses and abuses.  As a supervisor and as someone duly advised previously Garcia has allowed the abuses herein and elsewhere to persist.

4)      State’s Attorney is furthering the Criminal Agenda of others including but not limited to a less than credible complainant who State knows filed false statements, is attempting extortion, fraud, and a host of abuses outlined in the State’s file.

5)      The State has used/abused County personnel and resources to further their criminal agenda.  This is outlined in part in the attached and elsewhere.

6)      The State has used the local Sheriff’s office unlawfully in connection with this case to block the undersigned’s access to personal property thus committing and further Civil Right violations under the U.S. Constitution.  These violations are outlined in part in the attached, in the file of the State, and in the file of the Sheriff’s Office of Jackson County under the care of Larry Birge.

7)      Staged some FIFTY (50) depositions in one day with depositions scheduled presumably in 5 minute intervals.  This is unethical, unprofessional, impossible, ABUSE OF PROCESS, and a host of offenses not least of which is in every single case he is/was conflicted with the other 49 depositions/cases.

8)      The State in allowing the fifty (50) alleged depositions appear in collusion with crooked legal counsel (H.Guy Green, subject of another Sanctions request) thus allowing and furthering the criminal incompetence and agenda of another.  No party to these depositions can anticipate true fact or resolution through these pretend depositions.

9)      Failure substantially in any/all fiduciary duties.  The State has an obligation under law to protect those who are victims of a crime.  The State has been notified numerous times in numerous ways of crimes committed by the complainant and the State themselves as their agent, yet the State has failed to take early and/or substantial action against the criminal Jennifer Slay.

10)  As stated in the attached Ethics (ACAP) filing against Garcia (and Wahlquist for that matter) with the Florida Bar, Garcia has facilitated violation of Florida Theft laws 812.014 (1) and (2)(c) (F3-L2) and (2)(c)(5) firearms in conjunction with this case.

11)  Further to the firearms theft and collusion with the unlawful activities of the Sheriff department as regards evidence tampering and obstruction of justice, Garcia has violated the Civil Rights of the Undersigned pursuant to 42 U.S. Code 1983 of the U.S. Constitution.

12)  Collusion:  H. Guy Green is clearly either incompetent or corrupt.  His failures have bolstered the confidence of the criminally operating States Attorney group (Subject of additional Sanctions requests) and would appear that H. Guy Green is in cooperation as an accomplice in the States Attorney criminal conspiracy as outlined herein and elsewhere.

13)  Evidence of Collusion:  H. Guy Green’s file and the file of the State’s Attorney should reflect the undersigned requested an Emergency Change of Venue due to extensive corruption in Jackson County and their Court system.  As we move along we’ll see how this plays out.  Clearly the Court records will reflect request was made by the undersigned, and clearly it will reflect that H. Guy Green failed to request same.  Clearly we can all see it was a reasonable request.  Collusion to keep it in a criminal arena where they can manipulate facts and minds.

14)  Following proper execution of Sanctions against the criminally operating State’s Attorney office and H. Guy Green the undersigned has requested Dismissal of this Case based on the grounds stated therein.  It is respectfully requested that Sanctions are charged first, lest charges will have to be considered in other (Federal?) venue bringing this Court in to poor view of the public eye.

Substantial offenses and detail follow in the attached seven (7) page statement of fact attached.  Statement of fact is representative of an Ethics Filing to ACAP division of the Florida Bar on Ana Maria Garcia filed 12/10/2015. The establishment of the cost of waste, fraud, and abuse as we move along is important for all involved, yet the cost/loss is/was occurring irrespective of the attention to this detail prior to now.  The parties involved actually derive their income in part by agitating the lawful pursuits of others.  This is clearly ABUSE OF PROCESS, and they should be penalized at my rate of doing business. 

            Whereas it is anticipated that Garcia will plead ignorant, incompetent,  under-informed, or corrupt, it is clear from a simple read of her file that she has been adequately informed all along.  Further charges should be brought against the local Sheriff department for their ongoing ruse and conspiracy to defy truth and logic.  They are clearly operating as an accomplice and thus Aiding and Abetting the criminal nature of Wahlquist’s pursuits, while furthering their own criminal agenda.

            I request SANCTIONS in the amount of $231,000 of Ms Garcia and her office based on the following calculation:

Please impose Sanctions on Ana Maria Garcia and bar her from any further practice within this Court.  As a result of her corruption, incompetence, and collusion the client/Defendant has lost a substantial amount of work due to abnormal delay of this frivolous case.  Five months of lost work for the client amounts to potentially $105,000 in lost income.  Expenses are high and presently the records shows that Whidden has more than $300,000 worth of real estate in Jackson County for sale as a result of the duress of this situation.  The Defendant has begun selling off tractors, farm assets, etc to cover overheads and expenditures.  The financial impact of the waste, fraud, and abuse within this Court system is substantial.

The State’s Attorney has operated in conjunction with H. Guy Green (thus Collusion) and will be similarly charged in a separate document.

The nature of the client/Defendant’s work is that he gets paid at the end of project.   If Defendant can get work back on track by January 2016, then it will likely be June 2016 before he gets paid.  As a result Defendant requests an additional six months wages ($126,000) in sanctions.

Total requested Sanctions $231,000

 

            As we move along I reserve the right to initiate investigations as necessary including federal investigations for the substantial, long-standing, and seemingly routine of this Court and its affiliates.  This should trouble no one if everything is proper, but it should trouble everyone based on behaviors witnessed thus far.  It is both my right and responsibility under Misprision of Felony statutes to expose the frivolous and criminal nature of these proceedings.

 

All responses heretofore to be directed to: THEODORE WHIDDEN, The Victim of the Crimes/Conspiracy, PLAINTIFF in lawful presentation of Jackson County Case No. 15-276CF;  P.O.Box 158, Chipley, Florida 32428, Phone: 850-685-2353  Email: TedWhidden@gmail.com

 

CERTIFICATE OF SERVICE

I HEREBY CERTIFY this as a true copy of the foregoing to be delivered to the States Attorney office via their accomplice to their crimes, Larry Birge at the Jackson County Sheriff’s Office.  Attention Ana Maria Garcia, Florida Bar #577162; Laura Wahlquist, Florida Bar #87776

C/O Sheriff’s Office, Larry Birge, 4012 Lafayette Street, Marianna, Florida 32446

I HEREBY CERTIFY this as a true copy of the foregoing to be shared via Certified Mail to:

H.Guy Green, Florida Bar 153300; 4387 Clinton Street, Marianna, Florida 32446

                                                                                THEODORE WHIDDEN

                                                                                The Victim of the Crimes/Conspiracy

THEODORE WHIDDEN, The Victim of the Crimes/Conspiracy, PLAINTIFF in lawful presentation of Jackson County Case No. 15-276CF; 

P.O.Box 158, Chipley, Florida 32428

Phone: 850-685-2353  Email: TedWhidden@gmail.com

 

By:___________________________________________

THEODORE L. (Ted) WHIDDEN

An Abused Member of the Public

 

Supreme Court ruled unanimously written by Judge William Rehnquist concerning Hustler Magazine v Jerry Falwell

"At the heart of the First Amendment is the recognition of the fundamental importance of the free flow of ideas and opinions on matters of public interest and concern. The freedom to speak one's mind is not only an aspect of individual liberty – and thus a good unto itself – but also is essential to the common quest for truth and the vitality of society as a whole."

Supreme Court Judge Scalia wrote concerning Pope v Illinois

"Just as there is no use arguing about taste, there is no use litigating about it."

Copyright May 2016, All rights reserved by Ted Whidden