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GINA LYNN TURCOTTE

32 COURT STREET APT 1, AUGUSTA, MAINE


NOTICE OF CLAIM AGAINST CITY OF AUGUSTA Page 1 of 3

NOTICE OF CLAIM
AGAINST
CITY OF AUGUSTA, a body corporate and politic, and
WILLIAM STOKES, MAYOR (former, 2011 July 31, 2014), and
Each Member of AUGUSTA CITY COUNCIL, and
WILLIAM BRIDGEO, CITY MANAGER, and
MATT NAZAR, DIRECTOR OF DEVELOPMENT SERVICES,
COREY VOSE, PLANNING BOARD CHAIR, and
HEATHER POULIOT, PLANNING BOARD VICE CHAIR, and
MATTHEW POULIOT, PLANNING BOARD VICE CHAIR (former, 2009 Feb. 2013)
jointly and severally, in their individual and official capacities

pursuant to

14 MRSA 8107
MAINE TORT CLAIMS ACT

5 MRSA 4682
VIOLATION OF CONSTITUTIONAL RIGHTS

42 USC 1983
CIVIL ACTION FOR DEPRIVATION OF RIGHTS

U.S. Constitution, 5
th
Amendment
Maine Constitution, Article 1, Section 6-A
not to be deprived of life, liberty, or property, without due process of law

U.S. Constitution, 8th Amendment
Maine Constitution, Article 1, Section 9
to be free from cruel and unusual punishment


CLAIMANT: GINA LYNN TURCOTTE
32 COURT STREET APT 1
AUGUSTA, MAINE 04330

GINA LYNN TURCOTTE
32 COURT STREET APT 1, AUGUSTA, MAINE
NOTICE OF CLAIM AGAINST CITY OF AUGUSTA Page 2 of 3

AGENCY EMPLOYEE NAMES and ADDRESSES:
WILLIAM STOKES, MAYOR (former, 2011 July 31, 2014)
WILLIAM BRIDGEO, CITY MANAGER
MICHAEL G. BYRON, COUNCILOR, WARD 1
DAREK M. GRANT, COUNCILOR, WARD 2
PATRICK E. PARADIS, COUNCILOR, WARD 3
MARK S. O'BRIEN, COUNCILOR, WARD 4
JEFFREY M. BILODEAU, COUNCILOR, AT-LARGE
DALE MCCORMICK, COUNCILOR, AT-LARGE
CECIL E. MUNSON, COUNCILOR, AT-LARGE
DAVID M. ROLLINS, COUNCILOR, AT-LARGE
MATT NAZAR, DIRECTOR OF DEVELOPMENT SERVICES
COREY VOSE, PLANNING BOARD CHAIR
HEATHER POULIOT, PLANNING BOARD VICE CHAIR
MATTHEW POULIOT, PLANNING BOARD VICE CHAIR (former, 2009 Feb. 2013)
16 CITY CENTER, AUGUSTA, MAINE 04330

BASIS OF CLAIM
All of the above-named PUBLIC EMPLOYEES have knowingly committed CIVIL
RIGHTS VIOLATIONS, SLANDER, LIBEL, DISCRIMINATION, TRESPASS, COMMON LAW
NEGLIGENCE, and NEGLIGENT INFLICTION OF PHYSICAL AND EMOTIONAL DISTRESS
while operating under color of law, by use of excessive police power during the scope of their
employment, engaging in ongoing, deceptive and secret negotiations with intent to conceal
public business without having privilege or legal authority.
I have suffered private injury from repeated assaults to my good name and public
reputation, intentional interference with my property rights under color of law, living with
constant fear and ongoing threats of property loss and destruction under color of law,
constant emotional and physical distress, and damage to my physical and emotional safety,
health and welfare.
All of the above-named PUBLIC EMPLOYEES have violated the Maine and United
States Constitutions to honor and uphold the public trust and duty of care bestowed upon
GINA LYNN TURCOTTE
32 COURT STREET APT 1, AUGUSTA, MAINE
NOTICE OF CLAIM AGAINST CITY OF AUGUSTA Page 3 of 3

them, to act ethically on behalf of all constituents, and to consult and get approval from the
public when the publics safety, health and welfare are in jeopardy.
All of the above-named PUBLIC EMPLOYEES have engaged in ongoing deceptive secret
negotiations to purchase and destroy four habitable residential properties under color of law
without any plans to replace those lost units with comparable dwellings for the sole purpose
of building a larger courthouse parking lot at public expense thereby injuring my body and
property rights by putting me at imminent risk of eviction, homelessness, physical and
emotional injury and possible death during the upcoming winter months.
NATURE AND EXTENT OF INJURIES
As a result of living in constant fear of violent physical force and intimidation under
color of law, slander, libel, discrimination, trespass, negligence, destruction of my property
and causing bodily harm, I have suffered from pain and ongoing torment, emotional distress,
physical distress, violation of natural rights, violation of common law rights, violation of
statutory civil rights, violation of rights secured under Maine and United States Constitutions
to be free from cruel and unusual punishment and not be deprived of life, liberty or property
without due process of law.
I have been defamed with slander and libel as a sovereign citizen, a false misnomer,
currently classified as a violent domestic terrorist with the FBI, recorded in permanent public
records, impairing my good name, reputation and standing in the community causing me
public shame, humiliation and disgrace.
I have been discriminated against as a domestic terrorist and a low income tenant
directly resulting from my exercising my freedom of speech, freedom of assembly and freedom
of religion, among other natural and common law rights.
I have been deprived of my right to live in a peaceful manner free from constant fear of
slander, libel, discrimination, deprivation of property rights, destruction of property, violent
intimidation and eviction, homelessness, bodily injury and premature death.
AMOUNT OF MONETARY DAMAGES
Claimant demands $100,000 for each offense from City of Augusta and $30,000 for
each offense from each of the individual Respondents, in addition to pre-judgment interest
beginning on this date pursuant to 14 MRSA 1602-B.
I, GINA LYNN TURCOTTE, swear under pains and penalties of perjury, upon my own
knowledge, information and belief, and so far as upon my information and belief, I believe
this information to be true and correct.
Executed on this 5
th
day of August, 2014 in Augusta, Maine.

_____________________________________________
GINA LYNN TURCOTTE