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Tow Lot Notice

Tow Lot Notice

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Published by: bblurkin on May 17, 2009
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06/16/2009

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IN THE 71B JUDICIAL CIRCUIT COURT OF MISSOURI COUNTY OF CLAY William Duff, Plaintiff

,
v.

AUG. 012007 Clay County Circui? Court

) CASE NO. 07CYCV06125
) ) ACTION

) FOR TRESPASS, AND ) TRESPASS ON THE CASE

(DOE) OFFICER FRAZTER, AND (DOE) OFFICER (SERIAL # 3092) Defendants.

) ) VERIFIED

NOTICE AND DEMAND TO KCMO NEIGHBORHOOD SERVICES DIRECTOR LES WASHINGTON AND ALL INTERESTED PARTIES THEREIN 7/27/2007 It has recently come to my attention that your department has taken possession of my property described in your inventory as:
i. Item # Tow # Year Make Model VIN Comments ii. 441 701423 1996 Buick Riviera 1G4GD2215T4710668

2. Proof of my ownership of said property is attached hereto as exhibit A. 3. It has further come to my attention that you now intend to sell or dispose of my property at auction on July 31, 2007 in satisfaction of your accounting for towing and storage charges. 4. You are hereby noticed by me, William Duff, that I do not consent to your possession or sale of property belonging solely to me as referenced above. 5. You are hereby noticed that Kansas City, Mo and specifically your department does not possess a lawful contract, implied in law or in fact, with me, the owner, that would allow you to lawfully tow, store and sell my property and that you do so against my will and without my permission. 6. You are hereby noticed that your possession and taking of my property is an element of ongoing litigation wherein I am disputing the actions taken by William Frazier and Alan

Roth of the Kansas City, Missouri Police department and that matter has not been fully adjudicated. 7. Should you ignore this notice and sell my property I will be forced to add you, as the responsible agent overseeing said sale and who has the power to prevent said sale, in the action first above styled, to wit; That you engaged in the willful and wanton theft for profit of my property- and are therefore considered by me to be a co-conspirator with William Frazier and Alan Roth of the Kansas City, Missouri Police department in trespass, trespass on the case and/or vicarious liability. Demand; YOU ARE NOT TO SELL MY PROPERTY OR ALLOW IT TO BE DAMAGED OR LOST IN ANY WAY WITHOUT MY EXPRESS WRITTEN CONSENT WHICH YOU DO NOT NOW POSSESS. Note: copy of this document will be filled in the case first above styled and served upon all parties herein interested, and to Jordan Stanley, Jackson County Assistant prosecutor. All discussion on this subject matter will be on the record and done through email where delivery and content can be certified by a non-interested third party.

108 NW 101 PLACE KANSAS CITY, MISSOURI 64155 EMAIL; WilliamdufF@kcm.com

CERTIFICATE OF SERVICE I hereby certify the forgoing document has been sent to all defendants at 1001 NW Barry rd KCMO c/o Kansas City Police Department - north division

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