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STATE of MAINE

SUPERIOR COURT
KENNEBEC, ss.
DOCKET NO: CV-14-176
PLAINTIFFS DEMAND to CEASE AND DESIST

GinA
Plaintiff

ALL JUDICIAL ACTIONS and to TRANSFER


to UNITED STATES DISTRICT COURT

v.

for the DISTRICT of MAINE

Gregory Roy
Defendant

to CURE WANT of JURISDICTION

Pursuant to 28 USC 144, 455 and 1631

GinA demands Kennebec County Superior Court immediately cease and desist taking all
judicial actions and transfer KEN-CV-14-176 to United States District Court for the District of
Maine pursuant to 28 USC 144, 455 and 1631 to cure this courts want of jurisdiction ab
initio August 20, 2014.
GinA has given Kennebec County Superior Court and the Maine Judicial Branch over a
year and a half to proceed lawfully in KEN-CV-14-176 and many other cases, but it wrongfully
refuses.
As fully evidenced in a multitude of public records, the Maine Judicial Branch, by and
through the Maine Governmental Facilities Authority, recorded legal title to 32 Court Street on
October 29, 2014, only 34 days after GinA was forcibly and wrongfully evicted by wrongful use
of excessive force of improper police power under false disguise of judicial authority by illegal
Writ of Possession issued by Augusta District Court in SA-14-453 on September 24, 2014.
Augusta District Court, Kennebec County Superior Court and the Maine Judicial Branch
knowingly and intentionally defied the 1st, 7th and 14th Amendments of the Constitution and
Art. 1, Sec. 20 of the Maine Constitution and grossly breached public trust as state judges by
wrongfully presiding over AUGDC-SA-14-453, AP-14-56, KEN-14-410 and KEN-CV-14-176.
Kennebec County Superior Courts unlawful refusal to enter proper orders or schedule
proper hearings in KEN-CV-14-176 is prima facie evidence of its willful conspiracy with Maine
Judicial Branch, City of Augusta, Greg Roy, and other private and public agents in AUGDC-SA14-453, AP-14-56 and KEN-14-410 to illegally and forcibly remove GinA from 32 Court Street
on September 26, 2014 in violation of GinAs human and civil rights while intentionally acting
with a complete absence of all judicial authority in 2014 in all cases related to 32 Court Street.
PLAINTIFFS DEMAND for TRANSFER to UNITED STATES DISTRICT COURT for the DISTRICT of MAINE
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Public records show Maine Judicial Branch, Kennebec County Superior Court, Augusta
District Court, City of Augusta and Greg Roy directly benefited from Augusta District and
Kennebec County Superior Court's final illegal eviction in AUGDC-SA-14-453, AP-14-56 and
KEN-14-410 by Maine Governmenta l Facilities Authority quickly recording legal title to 32

Court Street on October 29, 2014 on behalf of the Maine Judicial Branch, razing it and quickly
constructing a public parking lot for the new Capital Judicial Center by March 1, 2015 .
Kennebec County Superior Court's unlawful refusal to enter proper orders in this case
or schedule and hold proper hearings, inter alia, is prima facie evidence of Maine Judicial
Branch, Kennebec County Superior Court, Augusta District Court, City of Augusta and Greg
Roy's intentional knowing criminal conspiracy, inter alia, with other public and private agents
in AUGDC-SA-14-453, AP-14-56 and KEN-14-410 to violate GinA's human and civil rights.

WHEREFORE, GinA demands Kennebec County Superior Court immediately cease and
desist all judicial actions and transfer KEN-CV-14-176 to United States District. Court for the

District of Maine under 28 USC 1631 to cure Maine Judicia Branch's absence of jurisdiction .

DATED:

March 2, 2016
GinA

cc:

United States District Court for the District of Maine, 1:16-cv-00095/00100-NT


Maine Supreme Judicial Court
Matthew Morgan, Esq.

PLAINTIFF'S DEMAND for TRANSFER to UNITED STATES DISTRICT COURT for the DISTRICT of MAINE
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