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THE UNITED STATES DISTRICT COURT

FOR THE SOUTHERN DISTRICT OF INDIANA


Indianapolis Division

Kay Kim,
Plaintiff, )
)
v. )
)
VEC HOA (Village at Eagle Creek ) Cause No. 1:08-cv-1644-SEB-DML
Home Owner’s Association) )
Judge Theodore M Sosin, the Court Staff & )
Commissioner Richard Gilroy )
Officers Melvin Clayton & his Partner )
Officer Ryan J. Romeril )
State of Indiana Attorney General(AG),et al.,)
Defendants. )

DENY DEFENDANTS’ ANY AND ALL MOTION(S) &


DEMAND ORDER OF FINAL JUDGMENT

I, Plaintiff, Kay Kim, Pro Se filed Deny Defendants’ Any and All Motion(s) & Demand

Order of Final Judgment on this 4th day of March, 2010 as follows and not limited to:

1. Defense Counsel James Edgar filed with this court that I, Plaintiff, Kay Kim, Pro

Se as some sort of villain, criminal and crazy.

2. Defense counsel Edgar asked this court to pay/give him the money by take away

from me-Kay Kim, Pro Se’s possible monetary judgment from the small claims court.

3. It was/is obvious that this court’s counsel(s), small claims court counsel(s) and

Indiana Criminal Court counsel(s)-Public Defender, Prosecutor(s) and the Judge gang up to take

away my any monetary judgment from the small claims court which led me to pay 2nd bond for

the one same alleged crime of November 6, 2008.

4. Further, above line 3 personnel gang up to take away every penny and dime I and

my family have by ICST(Incompetent to Stand Trial) involuntary civil commitment me to State

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FED1 Deny Defs Any And All Motion(S) & Demand Order Of Final Judgment 04mar2010
mental institution which I and my family is billing for the ICST stay of over $55,000.00 (This

claim is not included in this lawsuit and many items/issues I mentioned here. Any claims rises

after December 8, 2008, I, Kay Kim, Pro Se or a party will be filed a new lawsuit.)

5. That’s not good enough, they all are gang up together and working hard to find

me guilty from the upcoming trial(s) to influence this court of this case.

6. Their end game is, since, they have no right, merit and law to justify this case

against them, they think they might have some edge to get this lawsuit dismiss if I, Kay Kim, Pro

Se found guilty of alleged charge(s).

7. It is reasonable conclusion that this court also waiting that (above lines 5 & 6) to

happen by ordering denies & grants of defendants motion after motion which confused &/or

incompetent to proceed as a judge.

8. My actual damage claims ends against the defendants of this case ended on

December 8, 2008 when I filed the lawsuit. I have every intention to file a new lawsuit any and

all actual damage incurred/incurs/incurring after the date. Therefore, this court should not blur

the line of Judgment date of claim which is December 8, 2008.

9. It is sadly true that the Indiana Criminal Court-Public Defender, Prosecutor and

the Judge gang up to find me guilty anyway they can. Denied of own self representation in the

Indiana State Criminal court make me as good as I’m dead and murdered by the State.

10. Your honor shamelessly deny my-Kay Kim, Pro Se’s habeas corpus 1:09-cv-

1221-SEB-JMS from the Indiana State Mental Institution.

11. I, Kay Kim, Pro Se came out of State Mental Institution with my own merit.

There were no treatment and no psycho medication.

12. All my case before this court were/are Housing Discrimination on Steroid and
your honor was/is the enabler and many years of my sufferings and counting. My life-

financially, reputation, physically, mentally-emotionally, I’m as good as dead. Lost so much and

counting.

13. Your honor, could have stopped with a finger. Neighbors’-condo HOA (Home

Owner Association), condo Security Guard/IMPD Lt. James Waters and condo Board of Director

Housing Discrimination against me-Kay Kim, Pro Se is not only enabled but also joined them

against me by the Indiana Metro Police, Prosecutors, Public Defenders, Judges including Federal

Judges. This is new and improved way to carry out housing discrimination-disguise/make as a

Crime-Criminal.

14. Regardless, defense counsel James Edgar to make the “issue” and slander me

saying “undisclosed mental illness” to influence this case is unethical.

15. What if I was and is serial rapist, killer, hooker, robber, crazy? What has got to

do with this case’s right, merit and law?

16. Your honor already issued the order in conjunction with the subpoena the

defendant Mae Vera to produce the Video tape by March 19, 2010 and I’m about to file with the

court to issue the order the Marion County Sheriff Anderson to provide Event History Detail

with the conjunction with the subpoena.

17. Regardless, whenever your honor decide to conclude this case, any and all

outstanding subpoena(s) must be answered.

18. There is nothing to confuse about but confused court and the court’s good friend

of defense counsels. I, Kay Kim, Pro Se am only dance to your honor’s and your honor’s good

friend-defense counsels’ music.

19. Sun has set. This Court must conclude this case by rendering final judgment in

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FED1 Deny Defs Any And All Motion(S) & Demand Order Of Final Judgment 04mar2010
conjunction with docketed# 120, 176 and 178.

WHEREFORE, I, Plaintiff, Kay Kim, Pro Se demand the Court to DENY Defendants’

any and all outstanding motion to dismiss including partial stay and GRANT Default and Final

Judgment for the Plaintiff, Kay Kim, Pro Se expeditious manner.

Respectfully submitted,

Dated: March 4, 2010


Kay Kim, Pro se, Plaintiff
4250 Village Pkwy c e unit 2
Indianapolis, IN 46254
Tel# 317-641-5977
Fax# 206-984-9752
em: retypeunitedstates@gmail.com

CERTIFICATE OF SERVICE
I do hereby certify that a copy of the foregoing to the counsels & defendant(s) were
delivered by first class U.S. Mail, postage prepaid or personally to the defendants on or no later
than March 07 , 2009:

Kathy Bradley & Akia Haynes


Deputy Attorney General
State of Indiana Attorney General
Office of Attorney General,
Indiana Government Center South, Fifth floor
302 West Washington St.,
Indianapolis, IN 46204
T# (317) 234-2968 / F# (317) 232-7979,
em: kathy.bradley@atg.in.gov / akia.haynes@atg.in.gov

Nicole R. Kelsey (Withdrawn)


Assistant Corp. Counsel, Office of Corporation Counsel
200 East Washington St., Room 1601
Indianapolis, IN 46204
T# (317) 327-4055 / F# (317) 327-3968 / em: nkelsey@indygov.org

Jonathan L. Mayes
Chief Litigation Counsel
Office of Corporation Counsel
200 East Washington St., Room 1601
Indianapolis, IN 46204
T# (317) 327-4055 / F# (317) 327-3968, em: jmayes@indygov.org

James Edgar
Attorney, J. Edgar Law Office, Prof. Corp.,
1512 N. Delaware Street
Indianapolis, IN 46202
Pho# (317) 472-4000 / Fax# (317) 472-0640 / em: jedgar@jedgarlaw.com

Village at Eagle Creek Home Association


7225 Village Parkway Drive,
Indianapolis, IN 46254
Phone (317) 291-4916,
em: vechoa@sbcglobal.net
____________________
Kay Kim, Pro se-Plaintiff

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FED1 Deny Defs Any And All Motion(S) & Demand Order Of Final Judgment 04mar2010

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