The Anatomy of Public Corruption

Showing posts with label City of Palo Alto. Show all posts
Showing posts with label City of Palo Alto. Show all posts

Connecting Gary Vinson Collins to the Bribery Scandal and the to Bennett

Correlating witness murder of Gary Vinson Collins to the College Admissions Bribery Scandal 

FORMER BUILDING INSPECTOR for TOWN OF DANVILLE dies in suspicious fall. 
Linked to Contra Costa Narcotic Enforcement Scandal on November 2nd, 2011 tragically dead by dead by December. 

One of his sons found me in Walnut Creek near BART.  I did my best to appeal to his better side but I said I lost my sons.  


My story is about witness murders, private equity, mergers and acquisitions linked back to the Matter of Bennett v. Southern Pacific lost in 1989.  It was a winnable case as long the witnesses testified.  


Case: Bennett v. Collins

Bennett v. Collins



Case Facts


Peter Bennett

PO Box 523

Alamo
CA
94507


Telephone:       (925) 705-1812

Facsimile:        (000) 000-0000



In Pro Per









SUPERIOR COURT OF THE STATE OF CALIFORNIA



COUNTY OF CONTRA
COSTA-UNLIMITED JURISDICTION




Pete Bennett


                            Plaintiff,

              v.



Gary Collins, and DOES 1-20, inclusive,



                            Defendants.




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CASE NO.:



COMPLAINT FOR DAMAGES FOR ASSAULT, BATTERY, FALSE IMPRISONMENT, TRESPASS TO REAL PROPERTY, TRESPASS TO PERSONAL PROPERTY, CONVERSION AND INTENTIONAL INFLICTION OF EMOTIONAL DISTRESS




    

Plaintiff alleges:

GENERAL ALLEGATIONS
1. Defendant Gary Collins is an individual.  Plaintiff Pete Bennett is informed and believes that, at all times herein mentioned, defendant Gary Collins was a resident of Contra Costa County, California.
2. Defendants Doe 1 through Doe 20, inclusive, are sued herein under fictitious names. Their true names and capacities are unknown to plaintiff. When their true names and capacities are ascertained, plaintiff will amend this complaint by inserting their true names and capacities herein.  Plaintiff is informed and believes and thereon alleges that each of the fictitiously named defendants is responsible in some manner for the occurrences herein alleged, and that plaintiff's damages as herein alleged were proximately caused by those defendants. Each reference in this complaint to ''defendant,'' ''defendants,'' or a specifically named defendant refers also to all defendants sued under fictitious names.
3. Plaintiff is informed and believes and thereon alleges that at all times herein mentioned each of the defendants, including all defendants sued under fictitious names, was the agent and employee of each of the remaining defendants, and in doing the things hereinafter alleged, was acting within the course and scope of this agency and employment.


FIRST CAUSE OF ACTION
(Assault)
4. Plaintiff incorporates paragraphs 1 through 3 this Complaint as if the same were fully stated herein.

5. On or about September 21, 2004, defendant Gary Collins came to plaintiff Pete Bennett’s residence at
161 Valle Vista Drive in

Danville,
California
.  Defendant Gary Collins menacingly approached and yelled threatening and offensive words at plaintiff, including threats of death and bodily harm.  Further, defendant Gary Collins attempted to strike and did, in fact,
strike plaintiff, thereby inflicting bodily harm upon plaintiff.

6. In doing the acts as alleged above, defendant intended to cause plaintiff an apprehension of a harmful or an offensive contact with plaintiff's person.

7. As a result of defendant's acts as alleged above, plaintiff, in fact, was placed in great apprehension of a harmful contact with plaintiff's person.

8. At no time did plaintiff consent to any of the acts of defendant alleged above.

9. As a proximate result of the acts of defendant as alleged above, plaintiff suffered physical injuries to his elbow, shoulder, arm, knee, leg and chest.

10. As a proximate result of the acts of defendant as alleged above, plaintiff was hurt and injured in his health, strength, and activity, sustaining injury to his nervous system and person, all of which have caused, and continue to cause, plaintiff great
mental, physical, and nervous pain and suffering.  As a result of these injuries, plaintiff has suffered general damages.

11. As a further proximate result of defendant's acts, plaintiff has been damaged in that he has been required to expend money and incur obligations for medical services and treatment reasonably required in the treatment and relief of the injuries herein
alleged.

12. As a further proximate result of the acts of defendant, plaintiff has incurred medical and related expenses.

13. Plaintiff is informed and believes that, as a further proximate result of the acts of defendant, plaintiff will continue to incur medical and related expenses.

14. As a further proximate result of the acts of defendant, plaintiff was prevented from participating in his usual occupation and thereby lost earnings to his damage.

15. Plaintiff is informed and believes that, as a further proximate result of the acts of defendant, plaintiff's present and future earning capacity has been impaired.

16. The aforementioned conduct of defendant was willful and malicious and was intended to oppress and cause injury to plaintiff. Plaintiff is therefore entitled to an award of punitive damages.



SECOND CAUSE OF ACTION
(Battery)
17. Plaintiff incorporates paragraphs 1 through 3 and 8 through 16 of this Complaint as if the same were fully stated herein.
18. On or about September 21, 2004, defendant Gary Collins came to plaintiff Pete Bennett’s residence at
161 Valle Vista Drive in

Danville,
California
.  Defendant Gary Collins struck plaintiff with his hands on multiple occasions and threw plaintiff to the ground.  Defendant Gary Collins pinned plaintiff to the ground by pressing his knees into plaintiff’s chest while
plaintiff was on his back on the ground.

19. In doing the acts as alleged above, defendant acted with the intent to make a contact with plaintiff's person.


THIRD CAUSE OF ACTION
(False Imprisonment)
20. Plaintiff incorporates paragraphs 1 through 3 and 9 through 16 of this Complaint as if the same were fully stated herein.

            21. On or about September 21, 2004, defendant Gary Collins used physical force and threats of violence, including death threats, to confine plaintiff for a period of time, against his
will and without his consent.  Following this period of detention, defendant released plaintiff without charging him with any crime or taking him before a magistrate.

            22. Immediately prior to the acts of defendant herein alleged, plaintiff had been peacefully working in the study in his residence, located at
161 Valle Vista Drive in

Danville,
California
.

            23. Plaintiff did not steal, nor was he in the process of stealing, any property belonging to defendant or anyone else, nor had he committed any crime against defendant or anyone else.

            24. In imprisoning plaintiff, defendant acted with deliberate malice and for the purpose of harassing plaintiff and causing plaintiff physical and emotional harm.



FOURTH CAUSE OF ACTION
(Trespass to Real Property)
25. Plaintiff incorporates paragraphs 1 through 3 and 9 through 16 of this Complaint as if the same were fully stated herein.

26. On or about September 21, 2004, defendant Gary Collins intentionally entered a residence located at
161 Valle Vista Drive in

Danville,
California
of which plaintiff is the occupant and possessor.

27. Plaintiff did not give defendant permission for the entry and, in fact, defendant entered plaintiff’s residence despite plaintiff’s explicit demands for defendant to leave.



FIFTH CAUSE OF ACTION
(Trespass to Personal Property)
28. Plaintiff incorporates paragraphs 1 through 3 of this Complaint as if the same were fully stated herein.
29. On or about September 21, 2004, defendant Gary Collins, without plaintiff's consent, threw plaintiff into an antique table owned by plaintiff.
            30. In doing the acts above, defendant proximately caused damage to said table.  Plaintiff is informed and believes that the cost to replace or repair said table is approximately $400.00.
31. The aforementioned conduct of defendant was willful and malicious and was intended to oppress plaintiff. Plaintiff is therefore entitled to an award of punitive damages.



SIXTH CAUSE OF ACTION
(Conversion)
            32. Plaintiff incorporates paragraphs 1 through 3 of this Complaint as if the same were fully stated herein.

            33. At all times herein mentioned, and in particular on or about September 21, 2004, plaintiff was, and still is, the owner and was, and still is, entitled to the possession of the following
personal property, namely: an antique table.

34. Plaintiff is informed and believes that on or about September 21, 2004 and at
161 Valle Vista Drive in

Danville,
California
, the property described above had an approximate value of $400.00.

            35. On or about September 21, 2004, defendant Gary Collins, without plaintiff’s consent, intentionally damaged said antique table by throwing plaintiff into it, all to plaintiff’s detriment.

            36. The aforementioned conduct of defendant was willful and malicious and was intended to oppress plaintiff. Plaintiff is therefore entitled to an award of punitive damages.



SEVENTH CAUSE OF ACTION
(Intentional Infliction Emotional Distress)
37. Plaintiff incorporates paragraphs 1 through 36 of this Complaint as if the same were fully stated herein.

38.  Defendant’s actions of physically attacking plaintiff, verbally intimidating plaintiff, damaging plaintiff’s personal property and trespassing on plaintiff’s real property, as alleged in this Complaint, were knowing, intentional, and willful,
and done with a reckless disregard of the probability of causing plaintiff emotional distress.

39.  As a proximate result of defendant’s conduct, as alleged in this complaint, plaintiff suffered severe mental anguish and emotional and physical distress, all to his general damages.

            40. In acting in the manner described in this Complaint, defendant’s conduct was malicious and oppressive, and was carried out in willful and conscious disregard of plaintiff’s rights and safety and subjected plaintiff to cruel and unjust hardship.
PRAYER FOR RELIEF
            WHEREFORE, plaintiff Pete Bennett demands against defendants, and each of them, as follows:
1. For general damages according to proof;

2. For medical and related expenses according to proof;

3. For lost earnings, past and future, according to proof;

4. For punitive damages;

5. For interest as allowed by law;

6. For costs of suit herein incurred; and

7. For such other and further relief as the court may deem proper.



Dated:                                                                        




                                                                                    ________________________
                                                                                    Peter Bennett
                                                                                    In Pro Per








The Murders




















The Loretta Hale Murder

Nov 11 2011


The Bhatia case should be murder investigation, the Hale case was conveniently closed but should be reopened as on or about March/April 2014 an Alamo mom was found on the trails above Alamo with single gunshot wound to the temple which to me sound just
like the SFPD Lester Garnier shooting from back in 1988 and my arson case in 2004 sounds like the bombing of the IRS Agents car in 1988 sent the investigators round file leaving them enough to run over and kill homeless for
life insurance just like the LA Grandma's story.
























The Roma Bhatia Case

Nov 12 2011


The Bhatia case should be murder investigation, the Hale case was conveniently closed but should be reopened as on or about March/April 2014 an Alamo mom was found on the trails above Alamo with single gunshot wound to the temple which to me sound just
like the SFPD Lester Garnier shooting from back in 1988 and my arson case in 2004 sounds like the bombing of the IRS Agents car in 1988 sent the investigators round file leaving them enough to run over and kill homeless for
life insurance just like the LA Grandma's story.
























The Gary Vinson Collins

Nov 12 2011


The Bhatia case should be murder investigation, the Hale case was conveniently closed but should be reopened as on or about March/April 2014 an Alamo mom was found on the trails above Alamo with single gunshot wound to the temple which to me sound just
like the SFPD Lester Garnier shooting from back in 1988 and my arson case in 2004 sounds like the bombing of the IRS Agents car in 1988 sent the investigators round file leaving them enough to run over and kill homeless for
life insurance just like the LA Grandma's story.


























THe Official Meeting

Nov 1 2011

Bennett/Nordoff/Bryden





During the Chief Bryden held in the office of Walnut Creek City Manager Ken Nordoff who heard my allegations that I'd been attacked again. This critical meeting set a benchmark linking The Danville Building Inspector Incident
to CNET Arrests, but other incidents were raised that link to least one murder in San Ramon CA.



Within weeks Gary Vinson Collins was dead, along with two Danville Area Moms Roma Bhatia and Loretta Hale of Boy Scout PACK 36 who each died untimely deaths. I personally knew all three victims but Danville Police Officer
Steven Tanabe and former Judge Golub were each members of PACK 36 Danville part of the Meridian Council.


























Attack The Attorney

Nov 1 2005

Bennett's Attorney Attacked, Threatened and Beaten





The Danville Building Inspector Incident



One day I got a call from my counsel Sage Sepapi with news that he too had been beaten under nearly identical circumstances of ligation about to be brought against the Town of Danville. Within months my counsel went out of
his way to get out of representation.



When Chris Butler's testimony against Stephen Tanabe oozed about insurance fraud, arson and other events it was clear as day that Police Officers and DA investigators had been lying to me for years and my collection of over
100 police reports were part of larger criminal operation coming within Contra Costa County.
















The Racketeering Charges




















Hobbs Act

Nov 11 2011


The arrests of officers began nearly seven years later in early 2011 when the California Department of Justice arrested Chris Butler and Commander Norman Wielsch, when thier faces appeared it was clear I'd been setup but the setup extends to the Bar Association,
Contra Costa Superior Court, The Contra Costa District Attorneys offices and further to the municipal pooling authority where claims die with witnesses.




Learn more






















The Contra Costa Bar Association

The Council of Judicial Review

Highlights


  • How the bar is controlled
  • The DIRTY DUI
  • The Rules of Court
  • Witness Murders


The personal experience from over 40 years of cases but one day I discovered witnesses in my cases were gone - then I found the truth - they were dead.




Learn more































Related Federal Cases



Highlights


  • How the bar is controlled
  • The DIRTY DUI
  • The Rules of Court
  • Witness Murders


Coming Soon




Learn more























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The Murder of Danville Building Inspector Gary Vinson Collins



The Fatal Fall of Danville Building Inspector Gary Vinson Collins and the Attempted Murder of Pete Bennett 

Gary Vinson Collins 11/27/68 - 12/19/11 Resident of San Ramon Gary age 43 passed away in Stanford Medical Center as a result of complications resulting from injuries he sustained in a workplace accident. Gary born to Don & Mary Ann Collins grew up in Pleasant Hill and attended Acalanes High School. He spent many years helping his father Don Collins build their family businesses Lafayette Big O Tires and Oakdale Big O Tires. He later moved on to a successful career as a city building inspector. He was well known for his enthusiasm for life with his family and generosity as a loving caring friend. He is survived by his wife and soul-mate Renee Collins and his loving sons Justin 16 and Garrett 10, and his father Don Collins of Pleasant Hill. A Celebration of his life will be held at 4:00 pm January 4th at The Church on The Hill 20801 San Ramon Valley Blvd. San Ramon. A reception will be held for the family immediately following. In lieu of flowers, donations to the children's education fund can be made to CollegeAmerica, account number 73332486. Please mail contributions to American Funds P.O. Box 6164 Indianapolis, IN 46206-5154.

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Clients How CSAC-IA wins, how the Contra Costa Bar Associations Wins

Clients

PUBLIC SAFETY ASSOCIATIONS
Alameda County District Attorney Inspectors Association
Alameda Police Manager’s Association
Alameda Police Officers’ Association
Alameda Probation Teamsters Local 856
Albany Police Officers’ Association
Anaheim Police Association
Antioch Police Officers’ Association
Antioch Reserve Police Officers’ Association
Arcata Police Association
Bakersfield Police Officers’ Association
BART Police Management Association
Belmont Police Officers’ Association
Berkeley Police Association
Berkeley Police Reserve Association
Brentwood Police Officers’ Association
Brisbane Police Officers’ Association
Broadmoor Police Officers’ Association
Buena Park Police Association
Burlingame Police Officers’ Association
Butte County Deputy Sheriffs’ Association
California State Parks Peace Management Association
California Correctional Peace Officers’ Association
Campbell Police Officers’ Association
Capitola Police Management Association
Capitola Police Officers’ Association
Central Marin Police Association
Clayton Police Officers’ Association
Clayton Reserve Association
Clearlake Police Management Association
Clearlake Police Officers’ Association
Cloverdale Police Officers’ Association
Colma Police Officers’ Association
Colton Police Employees’ Association
Colton Police Officers’ Association
Concord Police Association
Contra Costa County District Attorney Investigators
Contra Costa College Police Officers’ Association
Contra Costa County Deputy Sheriffs’ Association
Contra Costa Reserve Deputy Sheriffs’ Association
Corona Police Officers’ Association
Correctional Peace Officers’ Foundation
Cotati Police Officers’ Association
Crescent City Police Officers’ Association
Cuesta College Police Officers’ Association
Daly City Firefighters’ Association Local 1879
Daly City Police Managers’ Association
Daly City Police Officers’ Association
Davis Police Officers’ Association
Desert Hot Springs Police Officers’ Association
East Bay Regional Park Police Management Association
East Bay Regional Park Police Association
East Bay Regional Park Police Reserve Association
East Palo Alto Police Officers’ Association
Ebbetts Pass Firefighters, IAFF Local 3581
El Cerrito Fire Management Association
El Cerrito Police Employees’ Association
El Cerrito Police Managers’ Association
El Cerrito Police Association
El Cerrito Police Reserve Association
El Cerrito Public Safety Employees’ Management Association
El Dorado County Correctional Police Officers’ Association
Emeryville Police Association
Eureka Police Officers’ Association
Eureka Police Reserve Association
Exeter Police Officers’ Association
Fairfax Police Officers’ Association
Fairfield Police Officers’ Association
Firefighters of San Joaquin County, IAFF Local 1243
Foothill-DeAnza College Police Officers’ Association
Fortuna Police Employees’ Association
Foster City Police Officers’ Association
Fremont Firefighters
Fremont Police Association
Fremont Police Managers Unit
Fresno Police Officers’ Association
Galt Police Department Civilians Association
Garden Grove Police Officers’ Association
Gardena Police Officers’ Association
Gilroy Police Officers’ Association
Grass Valley Police Officers’ Association
Greenfield Police Officers’ Association
Greenfield Police Supervisors Association
Gridley Peace Officers’ Association
Grover Beach Police Officers’ Association
Grover Beach Police Reserve Association
Hayward Police Officers’ Association
Healdsburg Police Officers’ Association
Hercules Police Officers’ Association
Hillsborough Police Officers’ Association
Hollister Police Officers’ Association
Humboldt Deputy Sheriffs’ Organization
Huntington Park Police Officers’ Association
Immigration and Customs Enforcement
Indio Police Officers’ Association
Inyo Deputy Sheriffs’ Organization
Kensington Police Officers’ Association
Kensington Police Reserve Association
Kern County Law Enforcement Association
Kern County Probation Managers’ Association
King City Police Officers’ Association
King City Sergeants’ Association
Kings Co Detention Department
Lakeport Police Officers’ Association
Lathrop-Manteca Firefighters, IAFF Local 4317
Lawrence Livermore National Laboratory Security Police Officers’ Association
Lemoore Police Officers’ Association
Livermore Police Management Association
Livermore Police Officers’ Association
Lodi Police Mid-Management Organization
Lodi Professional Firefighters, IAFF Local 1225
Los Alamitos Police Officers’ Association
Los Altos Police Officers’ Association
Los Altos Police Reserve Association
Los Banos Police Association
Los Gatos Police Management Association
Los Gatos Police Officers’ Association
Los Gatos Reserve Police Officers’ Association
Madera County Deputy Sheriffs’ Association
Marin County Probation Local 856
Marin County Probation Managers’ Association
Marin County Reserve Deputy Sheriffs’ Association
Marin County Deputy Sheriffs’ Association
Marin Water District Rangers
Marina Public Safety Officers’ Association
Martinez Police Officers’ Association
Martinez Police Officers’ Reserve Association
Mendocino County Probation Association
Menlo Park Police Officers’ Association
Menlo Park Public Safety Association
Mill Valley Police Association
Milpitas Police Officers’ Association
Modesto Police Managers’ Association
Montclair Police Officers’ Association
Monterey County Probation Officers’ Association
Monterey County Prosecutors’ Association
Monterey Police Lieutenants’ Management
Monterey Police Officers’ Association
Moraga Police Managers’ Association
Moraga Police Officers’ Association
Morgan Hill Police Officers’ Association
Morro Bay Police Officers’ Association
Mountain View Police Officers’ Association
Mountain View Police Reserve Association
National Emergency Medical Services Association
Newark Police Officers’ Association
Newport Beach Police Employees’ Association
Novato Police Management Association
Novato Police Officers’ Association
Oakland Housing Authority Police Officers’ Association
Oakland Police Officers’ Association
Oakland Police Reserve Association
Oakland School District Police Officers’ Association
Pacifica Police Officers’ Association
Pacifica  Reserve Police Officers’ Association
Palm Springs Police Officers’ Association
Palo Alto Police Management Association
Palo Alto Police Officers’ Association
Piedmont Firefighters Association
Piedmont Police Officers’ Association
Piedmont Police Reserve Association
Pinole Police Employees’ Association
Pittsburg Police Officers’ Association
Pittsburg Reserve Police Officers’ Association
Pleasant Hill Management Group
Pleasant Hill Police Association
Pleasanton Police Managers’ Association
Pleasanton Police Officers’ Association
Rancho Adobe Paid Firefighters’ Association
Redwood City Police Officers’ Association
Richmond Police Management Association
Richmond Police Officers’ Association
Richmond Reserve Police Officers’ Association
Rio Vista Police Association
Ripon Sergeants Association
Rocklin Police Officers’ Association
Rohnert Park Public Safety Officers’ Association
Roseville Police Officers’ Association
Ross Police Officers’ Association
Ross Public Safety Officers’ Association
Ross Reserve Police Officers’ Association
Safety Employees Benefit Association (SEBA)
Salinas Police Managers’ Association
Salinas Police Officers’ Association
San Benito Deputy Sheriffs’ Association
San Bernardino County SEBA
San Bernardino Police Officers’ Association
San Bernardino Unified School POA
San Bruno Police Association
San Bruno Public Safety Mid-Management Association
San Francisco Community College Police Officers’ Association
San Francisco Deputy Sheriffs’ Association
San Francisco District Attorney Investigators’ Association
San Francisco Juvenile Detention Officers’ Association
San Francisco Police Officers’ Association
San Francisco Probation Officers’ Association
San Francisco Reserve Police Officers’ Association
San Joaquin Delta College Police Officers’ Association
San Jose Park Peace Officers’ Association
San Jose Police Officers’ Association
San Leandro Police Officers’ Association
San Luis Obispo City Firefighters
San Luis Obispo Deputy Sheriffs’ Association
San Luis Obispo Police Officers’ Association
San Mateo County Commanders Group
San Mateo County Organization of Sheriffs’ Sergeants
San Mateo County Transit District
San Mateo Police Officers’ Association
San Mateo Police Sergeants’ Association
San Mateo Public Safety Managers’ Association
San Pablo Police Employees’ Association
San Rafael Police Association
San Rafael Police Reserve Association
San Ramon Police Officers’ Association
Santa Clara County Reserve Deputy Sheriffs’ Association
Santa Clara Deputy Sheriffs’ Association
Santa Clara District Attorney Investigators’ Association
Santa Clara Non-Sworn Public Safety Employees’ Association
Santa Clara Government Attorneys’ Association
Santa Clara Police Officers’ Association
Santa Cruz County Deputy Sheriffs’ Association
Santa Cruz Police Officers’ Association
Santa Rosa Firefighters, IAFF Local 1401
Santa Rosa Police Management Association
Santa Rosa Police Officers’ Association
Santa Rosa Public Safety Management Association
Sausalito Police Officers’ Association
Sebastopol Police Officers’ Association
Siskiyou County Deputy Sheriffs’ Association
Solano Community College
Solano County Law Enforcement Management Association
Sonoma County Deputy Sheriffs’ Association
South San Francisco Police Association
South San Francisco Police Reserve Association
St. Helena Police Officers’ Association
Stanford Deputy Sheriffs’ Association
Stanislaus County District Attorneys’ Investigators Association
Stockton Professional Firefighters, IAFF Local 456
Stockton Unified School District Police Officers’ Association
Suisun City Police Officers’ Association
Sunnyvale Public Safety Managers’ Association
Sunnyvale Public Safety Officers’ Association
Tiburon Police Association
Tiburon Police Reserve Association
Tracy Police Management Association
Truckee Police Officers’ Association
Tulare Police Officers’ Union
Turlock Firefighters Association, IAFF Local 2434
UC Berkeley Police Officers’ Association
UC San Francisco Police Management Association
Ukiah Police Officers’ Association
Union City Police Officers’ Association
United Stockton Administrators
University of San Francisco Public Safety Officers’ Association
Vacaville Police Management Association
Vacaville Police Association
Vacaville Reserve Police Officers’ Association
Vallejo Police Officers’ Association
Walnut Creek Police Officers’ Association
Walnut Creek Police Management Association
Washoe County Sheriff’s Deputies’ Association
Washoe County Supervisory Sheriff’s Deputies Association
Watsonville Police Officers’ Association
West Valley-Mission Community College District Police Officers’ Association
Whittier Police Officers’ Association
Willits Police Officers’ Association
Yuba City Firefighters, IAFF Local 3793
NON-PUBLIC SAFETY ASSOCIATIONS
Belmont Middle Management/Confidential Employees’ Association
Benicia Dispatchers’ Association
Calaveras Court Employees’ Association
California School Employee Association
Colusa County Employees Association
Organization of SMUD Employees
Program, Administrative and Support Employees Association
San Mateo City Employees’ Association
San Mateo Management Association
Santa Clara County Government Attorney’s Association
Vacaville Managers’ Organization
Walnut Creek Employees’ Association
Woodland Mid-Management Professional Association
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CASE NO.: COMPLAINT FOR DAMAGES FOR ASSAULT, BATTERY, FALSE IMPRISONMENT, TRESPASS TO REAL PROPERTY, TRESPASS TO PERSONAL PROPERTY, CONVERSION AND INTENTIONAL INFLICTION OF EMOTIONAL DISTRESS

The Witness Murders of Contra Costa County

The Convicts and Felons

Connecting Paul Pelosi to GaganMcCoy to a long list of attempts on Pete Bennett's life.

The Couples Unbelievable

The Power Couples and Pete Bennett

Pelosi hired an attorney connected to a law firm that represented Dr. Kim Fang of Alamo CA. Dr. Fang sued Bennett in 1987 where his witness was murdered in 2000 then Fang while being represented Attorney William Gagen was murdered. The home invasion robbery brought Contra Costa Sherrif Deputies to my door. Guilt by litigation. A few years later or less the witness intimidation began.




Peter Bennett
PO Box 523
Alamo  CA  94507
Telephone:       (925) 705-1812
Facsimile:        (000) 000-0000

In Pro Per




SUPERIOR COURT OF THE STATE OF CALIFORNIA

COUNTY OF CONTRA COSTA-UNLIMITED JURISDICTION

PETE BENNETT

                            Plaintiff,     
              v.

GARY COLLINS, and DOES 1-20, inclusive,

                            Defendants.

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CASE NO.: 

COMPLAINT FOR DAMAGES FOR ASSAULT, BATTERY, FALSE IMPRISONMENT, TRESPASS TO REAL PROPERTY, TRESPASS TO PERSONAL PROPERTY, CONVERSION AND INTENTIONAL INFLICTION OF EMOTIONAL DISTRESS


           
Plaintiff alleges:
GENERAL ALLEGATIONS
1. Defendant Gary Collins is an individual.  Plaintiff Pete Bennett is informed and believes that, at all times herein mentioned, defendant Gary Collins was a resident of Contra Costa CountyCalifornia.
2. Defendants Doe 1 through Doe 20, inclusive, are sued herein under fictitious names. Their true names and capacities are unknown to plaintiff. When their true names and capacities are ascertained, plaintiff will amend this complaint by inserting their true names and capacities herein.  Plaintiff is informed and believes and thereon alleges that each of the fictitiously named defendants is responsible in some manner for the occurrences herein alleged, and that plaintiff's damages as herein alleged were proximately caused by those defendants. Each reference in this complaint to ''defendant,'' ''defendants,'' or a specifically named defendant refers also to all defendants sued under fictitious names.
3. Plaintiff is informed and believes and thereon alleges that at all times herein mentioned each of the defendants, including all defendants sued under fictitious names, was the agent and employee of each of the remaining defendants, and in doing the things hereinafter alleged, was acting within the course and scope of this agency and employment.

FIRST CAUSE OF ACTION
(Assault)
4. Plaintiff incorporates paragraphs 1 through 3 this Complaint as if the same were fully stated herein.
5. On or about September 21, 2004, defendant Gary Collins came to plaintiff Pete Bennett’s residence at  161 Valle Vista Drive in  Danville,  California .  Defendant Gary Collins menacingly approached and yelled threatening and offensive words at plaintiff, including threats of death and bodily harm.  Further, defendant Gary Collins attempted to strike and did, in fact, strike plaintiff, thereby inflicting bodily harm upon plaintiff.
6. In doing the acts as alleged above, defendant intended to cause plaintiff an apprehension of a harmful or an offensive contact with plaintiff's person.
7. As a result of defendant's acts as alleged above, plaintiff, in fact, was placed in great apprehension of a harmful contact with plaintiff's person.
8. At no time did plaintiff consent to any of the acts of defendant alleged above.
9. As a proximate result of the acts of defendant as alleged above, plaintiff suffered physical injuries to his elbow, shoulder, arm, knee, leg and chest.
10. As a proximate result of the acts of defendant as alleged above, plaintiff was hurt and injured in his health, strength, and activity, sustaining injury to his nervous system and person, all of which have caused, and continue to cause, plaintiff great mental, physical, and nervous pain and suffering.  As a result of these injuries, plaintiff has suffered general damages.
11. As a further proximate result of defendant's acts, plaintiff has been damaged in that he has been required to expend money and incur obligations for medical services and treatment reasonably required in the treatment and relief of the injuries herein alleged.
12. As a further proximate result of the acts of defendant, plaintiff has incurred medical and related expenses.
13. Plaintiff is informed and believes that, as a further proximate result of the acts of defendant, plaintiff will continue to incur medical and related expenses.
14. As a further proximate result of the acts of defendant, plaintiff was prevented from participating in his usual occupation and thereby lost earnings to his damage.
15. Plaintiff is informed and believes that, as a further proximate result of the acts of defendant, plaintiff's present and future earning capacity has been impaired.
16. The aforementioned conduct of defendant was willful and malicious and was intended to oppress and cause injury to plaintiff. Plaintiff is therefore entitled to an award of punitive damages.

SECOND CAUSE OF ACTION
(Battery)
17. Plaintiff incorporates paragraphs 1 through 3 and 8 through 16 of this Complaint as if the same were fully stated herein.
18. On or about September 21, 2004, defendant Gary Collins came to plaintiff Pete Bennett’s residence at 161 Valle Vista Drive in  Danville,  California .  Defendant Gary Collins struck plaintiff with his hands on multiple occasions and threw plaintiff to the ground.  Defendant Gary Collins pinned plaintiff to the ground by pressing his knees into plaintiff’s chest while plaintiff was on his back on the ground. 
19. In doing the acts as alleged above, defendant acted with the intent to make a contact with plaintiff's person.

THIRD CAUSE OF ACTION
(False Imprisonment)
20. Plaintiff incorporates paragraphs 1 through 3 and 9 through 16 of this Complaint as if the same were fully stated herein.
            21. On or about September 21, 2004, defendant Gary Collins used physical force and threats of violence, including death threats, to confine plaintiff for a period of time, against his will and without his consent.  Following this period of detention, defendant released plaintiff without charging him with any crime or taking him before a magistrate.
            22. Immediately prior to the acts of defendant herein alleged, plaintiff had been peacefully working in the study in his residence, located at  161 Valle Vista Drive in  Danville,  California .
            23. Plaintiff did not steal, nor was he in the process of stealing, any property belonging to defendant or anyone else, nor had he committed any crime against defendant or anyone else.
            24. In imprisoning plaintiff, defendant acted with deliberate malice and for the purpose of harassing plaintiff and causing plaintiff physical and emotional harm.

FOURTH CAUSE OF ACTION
(Trespass to Real Property)
25. Plaintiff incorporates paragraphs 1 through 3 and 9 through 16 of this Complaint as if the same were fully stated herein.
26. On or about September 21, 2004, defendant Gary Collins intentionally entered a residence located at 161 Valle Vista Drive in  Danville,  California  of which plaintiff is the occupant and possessor.
27. Plaintiff did not give defendant permission for the entry and, in fact, defendant entered plaintiff’s residence despite plaintiff’s explicit demands for defendant to leave.

FIFTH CAUSE OF ACTION
(Trespass to Personal Property)
28. Plaintiff incorporates paragraphs 1 through 3 of this Complaint as if the same were fully stated herein.
29. On or about September 21, 2004, defendant Gary Collins, without plaintiff's consent, threw plaintiff into an antique table owned by plaintiff.
            30. In doing the acts above, defendant proximately caused damage to said table.  Plaintiff is informed and believes that the cost to replace or repair said table is approximately $400.00.
31. The aforementioned conduct of defendant was willful and malicious and was intended to oppress plaintiff. Plaintiff is therefore entitled to an award of punitive damages.

SIXTH CAUSE OF ACTION
(Conversion)
            32. Plaintiff incorporates paragraphs 1 through 3 of this Complaint as if the same were fully stated herein.
            33. At all times herein mentioned, and in particular on or about September 21, 2004, plaintiff was, and still is, the owner and was, and still is, entitled to the possession of the following personal property, namely: an antique table. 
34. Plaintiff is informed and believes that on or about September 21, 2004 and at  161 Valle Vista Drive in DanvilleCalifornia , the property described above had an approximate value of $400.00.
            35. On or about September 21, 2004, defendant Gary Collins, without plaintiff’s consent, intentionally damaged said antique table by throwing plaintiff into it, all to plaintiff’s detriment.
            36. The aforementioned conduct of defendant was willful and malicious and was intended to oppress plaintiff. Plaintiff is therefore entitled to an award of punitive damages.

SEVENTH CAUSE OF ACTION
(Intentional Infliction Emotional Distress)
37. Plaintiff incorporates paragraphs 1 through 36 of this Complaint as if the same were fully stated herein.
38.  Defendant’s actions of physically attacking plaintiff, verbally intimidating plaintiff, damaging plaintiff’s personal property and trespassing on plaintiff’s real property, as alleged in this Complaint, were knowing, intentional, and willful, and done with a reckless disregard of the probability of causing plaintiff emotional distress.
39.  As a proximate result of defendant’s conduct, as alleged in this complaint, plaintiff suffered severe mental anguish and emotional and physical distress, all to his general damages.
            40. In acting in the manner described in this Complaint, defendant’s conduct was malicious and oppressive, and was carried out in willful and conscious disregard of plaintiff’s rights and safety and subjected plaintiff to cruel and unjust hardship.
PRAYER FOR RELIEF
            WHEREFORE, plaintiff Pete Bennett demands against defendants, and each of them, as follows:
1. For general damages according to proof;
2. For medical and related expenses according to proof;
3. For lost earnings, past and future, according to proof;
4. For punitive damages;
5. For interest as allowed by law;
6. For costs of suit herein incurred; and
7. For such other and further relief as the court may deem proper.

Dated:                                                                        


                                                                                    ________________________
                                                                                    Peter Bennett
                                                                                    In Pro Per
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