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Case 3:11-cv-00145-HRH Document 1 Filed 07/20/11 PRET OEs2"2 p>
Ben Latham JUL 29 204
P.O. Box 100014 Gr
Anchorage, Alaska Zip. 99510
Phone 907-980-4109
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF ALASKA
BEN LATHAM
Plaintiff,
vs.
Alaska’s Governor Sarah Palin
Alaska’s Attorney General Talis Colberg
Case No. 9 ‘il-ey 0043. tF
Defendants.
Supreme Court No. S-13526
Superior Court No. 3AN-08-12168
District Court Case 3AN-M02-8722CR
COMPLAINT
FOR COMPENSATORY AND PUNITIVE DAMAGES
DECLARATORY JUDGMENT AND INJUNCTIVE RELIE
2 U.S.C. 1983
Comes Now Plaintiff, Ben Latham Pro Per, and allege as
follows:
NATURE OF THE ACTION
This is an action to recover damages and other relief under
Bivens v. Six Unknown Named Agents of Federal Bureau of
Narcotics, 403 U.S.C, 388 (1971 +C. 1983; and state law.
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Case 3:11-cv-00145-HRH Document 1 Filed 07/20/11 Page 2 of 32
The claims arise from the acts and failure to act by
Alaska’s Governor Sarah Palin and Alaska’s Attorney General
Talis Colberg. By filing this Complaint, it is Plaintiffs
intent, to provide defendants notice and to seek recovery from
defendants for all of defendants’ culpable conduct based upon
all relevant causes of action as applicable under state and
federal law, including all statutory, constitutional, and common
law.
I. PARTIES
1. Plaintiff, Ben Latham was harmed, is being harmed, and
will continue to be harmed, by defendants’ culpable conduct as
set out herein. Plaintiff is and at all times herein is a
citizen of the United States of America, and the State of
Alaska, and is a party to this action by virtue of his status as
an illegally convicted criminal defendant, convicted by either
the State of Alaska or the Municipality of Anchorage, for the
following criminal convictions: State of Alaska vs. Ben Latham
3PA-86-1986 Cr., and in State of Alaska vs. Ben Latham 3AN-94-
5044Cr., and in State of Alaska vs. Ben Latham 3AN-96-7123Cr.,
and in State of Alaska vs. Ben Latham 3AN-98-10734Cr., and in
State of Alaska vs. Ben Latham 3AN-05-745Cr., and in State of10
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Case 3:11-cv-00145-HRH Document 1 Filed 07/20/11 Page 3 of 32
Alaska vs. Ben Latham 3AN-05-6218Cr., an in State of Alaska
vs. Ben Latham 3AN-05-6593Cr., and in State of Alaska vs. Ben
Latham 3AN-05-10100Cr., and in State of Alaska vs. Ben Latham
3AN-07-14232Cr., and in State of Alaska vs. Ben Latham 3KN-85-
01320CR., and in State of Alaska vs. Ben Latham 3KN-97-
00934CR., and in State of Alaska vs. Ben Latham 3SW-00-00225CR
and in Municipality of Anchorage vs. Ben Latham 3AN-M02-8722Cr.,
and in Municipality of Anchorage vs. Ben Latham 3AN-03-4860Cr.,
and in Municipality of Anchorage vs. Ben Latham 3AN-06-5648Cr
In State of Alaska vs. Ben Latham 3AN-05-10100Cr.,
Plaintiff Ben Latham is still on informal Probation for 4 years
From July 18, 2008 until July 18, 2012 from the above
Unconstitutional State criminal convictions.
In Municipality of Anchorage vs. Ben Latham 3AN-M02-8722Cr
Plaintiff Ben Latham, is still on informal Probation for 5 years
From March 2, 2011 until March 2, 2016 from the above
Unconstitutional Municipal criminal Conviction.
2 Defendant Governor Sarah Palin is collectively
referred to herein as “Palin” at the time of these actions
complained of herein was a resident of the State of
[Alaska and/or acting in a culpable fashion in the State of
Alaska, so as to subject her to the jurisdiction of this Court