Professional Documents
Culture Documents
3 2. Defendants have destroyed directly at least 20% -proximately, at least 50%- of my intellectual skills;
and have caused me other health issues. Please order Defendants to compensate me and stop future
abuses against me and others.
6 3. For the following lawful reasons, please accept my response even though it is late for some
Defendants' Motions. Indeed, an emergency period started due to the coronavirus on March 13, 2020
-Florida Covid-19 (EM-3432), https://www.fema.gov/disaster/3432-, which made me delay studying
9 and acting for this response, to study the measures needed to prevent infection, and to cure a cold, as I
have suffered from fever and fatigue from the beginning of March -not coronavirus according to the
Lower Keys Medical Center in Key West, 5900 College Road, Key West, FL 33040, Phone: (305) 294-
12 5535, Fax: (305) 296-4647, Monday - Friday, 8:30 a.m. - 4:30 p.m.-. However, the tests for coronavirus
did not function properly at the beginning of March according to news reports, and my current illness is
much worse and lasts longer than the normal flu, thus I strongly believe that I was inoculated with a
15 bad virus by the organized crime to lose or quit my legal actions and complaints. If you do not accept
my answers to some Defendants' Motions because they are late, please consider my lack of response
before the deadlines, as my indication that my AC has provided all the answers already, and as my
18 automatic request to you to deny the Defendants' motions to dismiss. Is it true what I just read at
https://www.barkerrodemsandcook.com/BRCPracticing-in-Federal-Court.pdf, that, automatically,
the Federal Court requires a party to answer in writing all the adverse allegations even though previous
21 filings -the AC, in my case- provide the answers already? Does the Federal Court consider the lack of
response by Plaintiffs a renouncing of their claims? If yes, please cancel the counter-intuitive rule.
4. Plaintiff will be referred to as ”Plaintiff”, or ”I” as I, the Plaintiff myself, will have written this.
24 Defendant Sheriff Rick Ramsay, in his private capacity and in his official business capacity as the
Sheriff of Monroe County, and his attorneys will be referred to as ”RR”. All of the Defendants
collectively shall be referred to as the Defendants. Monroe County will be referred to as MC; Key
27 Largo as KL; Florida Department of Financial Services as FDFS; the Auditor General of Florida as
AuGF; my Amended Complaint as AC; “in their private capacities and their official business
capacities” as IPABC; Hampton Inn as HI; Court of Monroe County as CMC; Florida's Third District
30 Court of Appeal as 3DCA; Social Services as SS. Other terms and acronyms will be defined as they
appear. If I do not know which Defendants are guilty for a violation, I will use the term “Offenders”. I
use bold letters for the main points.
5. My amended complaint is not a “shotgun pleading”, as it contains at pages 2-10 a short and plain
statement of the claim for every Defendant and Group of Defendants, which shows that I am
6 entitled to relief jointly and severally from every Defendant in every Group of Defendants. If I did
not add all involved organizations as Defendants, including their individual Directors, Chiefs, or
Leaders, please let me know. All Defendants discriminated and injured me, violated my rights under
9 U.S. Constitution Amendments, RICO ACT, Title II of the Americans with Disabilities Act (ADA), 42
U.S.C. § 1983, § 1985, § 1988 and § 12131, et seq., 29 U.S.C. § 794 (Rehabilitation Act), and other
laws; see AC, 40-58. Here is a summary of the guilt of the Defendants and of my other claims against
12 them -“LINEL” means the legal, moral and ethical principle “Lex injusta non est lex”-:
RESPONSE TO GROUP STATE COURTS [JUDGE PTOMEY, JUDGE GARCIA -IN THEIR
3 PRIVATE CAPACITIES AND THEIR OFFICIAL BUSINESS CAPACITIES (IPABC)-; AND
THE SIXTEENTH JUDICIAL CIRCUIT, 3DCA, FSC, AuGF AND/OR FDSF, AND THEIR
INVOLVED EMPLOYEES AND AGENTS IPABC] DEFENDANTS' MOTION TO DISMISS
6 6. Regarding “Plaintiff stated Defendants [...] had embezzled from him [… AC] At 49”, I wrote “please
investigate whether the funds for the A/Cs of the cars of the SDMC, and the other funds, have been
embezzled” because I have no proof of their embezzlement but I have suffered its atrocious
9 consequences. Please sanction attorney Meghan Boudreau Daigle and request her not to cite my words
wrongly anymore. Please order FBI, NSA or the Military to detect around all people involved in this
case all devices, energies, waves and other tools, including artificial intelligence, which can remotely
12 influence reasoning with artificial brain waves. All must be able to think clearly and fairly, without any
harmful interference by organized crime. For an example of interference -even though it is not criminal,
concealed and remote-, see http://tiny.cc/20onmz (Greg Gage, a “neuroscientist and TED Senior
15 Fellow uses a simple, inexpensive DIY kit to take away the free will of an audience member”); for
examples of Remote Thought Monitoring and Manipulation, see “gyrotron resonance maser”,
https://www.eyespyinvestigations.com/blog/2018/07/remote-satellite-mind-control/, Alex
18 Constantine's book Psychic Dictatorship in the U.S.A. at https://books.google.com/books?
isbn=1936239558, Internet search engines; in addition, Milgram, psychologist, “found that, after
hearing the […] first cries of pain at 150 volts, 82.5 percent of [random, almost unpaid] participants
21 continued administering shocks; of those, 79 percent continued to the shock generator's end, at 450
volts” -More shocking results: New research replicates Milgram's findings, Viewed on 04/07/20,
https://www.apa.org/monitor/2009/03/milgram; moreover, “Philip Zimbardo knows how easy it is
24 for nice people to turn bad. [...] Then he talks about the flip side: how easy it is to be a hero, and how
we can rise to the challenge” - https://www.ted.com/search?q=milgram; also, abusive, evil foreign
governments act to enslave or destroy the USA and other countries, and use the mental injuries, greed,
27 incompetence, or fear of our politicians, Courts, Police, banks -for example, see http://tiny.cc/t0unmz,
Exiled Chinese Billionaire's Accusations of China which was captured and is ruled by organized crime
against the interests of the other citizens, Real Vision Finance Classics, YouTube-, therefore, let's
3 identify the inaccessible or hidden criminals, sue them and boycott their products and services, and stop
them and their “poison”. John 3:20 of the Christian New Testament writes, “Everyone who does evil
hates the light, and will not come into the light for fear that their deeds will be exposed.” I will
6 volunteer to research.
7. Regarding “It was also ‘diabolical and satanic’ for Defendants to violate his rights. [AC] At 32.“,
indeed, it is infernal for a group to affect one mentally with hyperthermia and other excessive stresses
9 then to accuse one of not having appealed within 30 days. “Although urgent care is required, it is
common for a blow to [or heating of] the head not to be evaluated as a serious medical situation.
Certain individuals are even pressured to forego treatment, especially those subject to domestic
12 violence.” https://psychcentral.com/blog/traumatic-brain-injury-the-hidden-epidemic-nobody-
wants-to-talk-about.
8. Regarding “Plaintiff actually pled no contest in the case with Judge Ptomey and the Court accepted
15 his plea voluntarily given, so there was no determination ‘against’ the Plaintiff in that case”, I pled no
contest to snorkeling lawfully not to trespassing or any other crime. Indeed, my plea of no contest at the
arraignment hearing then at the criminal trial in 2015 regarded snorkeling lawfully in the public water
18 nearby -within 100 ft from- my boat, thus it did not establish probable cause for my arrest, detention
and conviction for trespassing on private property, and it did not preclude a challenge of the legality of
my arrest, detention and conviction by way of a civil suit for corrupt, wrong, abusive, injuring arrest,
21 detention and conviction in state or federal courts. Indeed, Judge Ptomey took advantage of his
powerful position and ruled abusively against my rights.
9. Regarding that my AC “contains various frivolous and unnecessary allegations including citing
24 alleged facts about world wars, the September 11 attacks, family dynasties, 5G, and anthrax. See, e.g.,
Complaint, D.E. 11, pp. 70-98 of the complaint.”, I wrote endnotes about examples of clear, unsubtle
conspiracies of people whose greed has made them criminals and to abuse our government and citizens
27 for their illegal gains. Lawsuits are still pending, for example, one for damages caused by the
September 11 attacks (the Plaintiff's attorney has no time to help me). For what do we, the citizens of
the USA, owe 24 trillion U.S. Dollars? https://treasurydirect.gov/NP/debt/current.
30 10. Regarding “There are various portions of the complaint that are largely nonsensical”, it is not true,
as all portions of my AC support my claims. What exactly is nonsensical?
11. Regarding “Since there were insufficient facts to conclude reasonable inferences of misconduct by
33 Defendants, Plaintiff’s claims are not plausible” and “Plaintiff’s complaint is a typical 'shotgun'
pleading and fails to plead sufficient facts to support any claims against the Defendants”, it is not true,
as there were sufficient facts -see Appendix F of AC: the GMAT report shows that my performance at
3 the integrated reasoning section decreased 41 pp, 77.4%, two months after the wrong arrest; and see
Appendix G of AC: I complained to Dr. Carlos Sandoval, psychiatrist, about the Defendants' disregard
for my health, and the mental injuries that Defendants caused me unlawfully- to conclude reasonable
6 inferences of misconduct by Defendants, therefore my claims are plausible.
12. Regarding “Any additional amendment would be futile because Defendants are entitled to absolute
immunity in regard to liability for acts judicial in nature, as previously stated. Therefore, the Complaint
9 against Defendants should be dismissed with prejudice, and Plaintiff should not be allowed to amend”,
Defendants are not entitled to absolute immunity in regard to liability for their questionable acts;
indeed, their acts only had the appearance of judicial nature, but were in fact abuses of power
12 committed by the judges to protect the conspiracies and continue to enrich illegally themselves and the
other conspirators.
13. Regarding “Plaintiff requests FBI investigation”, please approve an investigation by private,
15 independent detectives, if FBI lacks the required resources or independence.
Therefore, please do not grant any Defendant's Motion to Dismiss, and do not dismiss any parts of my
6 Complaint.
CERTIFICATE/PROOF OF SERVICE
9 I HEREBY CERTIFY that, on 11/06/20, a copy of this document was sent via e-mail to DANIEL E.
NORBY, ESQUIRE, Shutts & Bowen, LLP., 215 South Monroe Street, Suite 804, Tallahassee, Florida
32301 at Dnordby@shutts.com; and to JEREMIAH HAWKES, ESQUIRE, The Florida Senate, 302
12 The Capitol, 404 South Monroe Street, Tallahassee, Florida 32399 at hawkes.jeremiah@flsenate.gov,
co-counsel and counsel for State Senator Anitere Flores; to MEGHAN BOUDREAU DAIGLE,
ESQUIRE., Senior Assistant Attorney General, Office of the Attorney General, PL-01 The Capitol,
15 Tallahassee, Florida 32399, Meghan.Daigle@myfloridalegal.com, stevi.parker@myfloridalegal.com,
counsel for Honorable Luis Garcia, Circuit Judge; Honorable (former county judge) William R. Ptomey
and the Sixteenth Judicial Circuit Court and to CYNTHIA L. HALL, ESQUIRE, Monroe County
18 Attorney’s Office, 1111 12 th Street, Suite 404, Key West, Florida 33040, Hall-
cynthia@monroecounty-fl.gov, counsel for Defendants Monroe County, Roman Gastesi, Sylvia
Murphy and other Offenders employed by Monroe County; FLORIDA AUDITOR GENERAL,
21 flaudgen_localgovt@aud.state.fl.us, flaudgen@aud.state.fl.us; FLORIDA DEPARTMENT OF
FINANCIAL SERVICES, 200 E. Gaines Street, Tallahassee, Florida 32399-0338; ph. (850) 413-3122,
kelly.hagenbeck@myfloridacfo.com; Hampton Inn, 102400 O/S Highway, Key Largo, FL 33037, with
24 Reg. Agent: UNITED STATES CORPORATION COMPANY, 1201 Hays Street Suite 105, Tallahassee,
FL 32301, sop@cscglobal.com.
Respectfully,
27
Valentin Spataru
POST SCRIPTUM
6 I have been a serious person who has worked hard, aimed for the highest achievements, had many
successes, and my resume proves it:
“EDUCATION
9 Master of Accountancy, Taxation 08/98 – 12/00
University of Georgia, Athens, GA, USA: ●Was “Presidential Scholar” for A in each class during my
second semester; ●Received merit student loan all semesters.
12 Master in Financial Economics and Management 09/92 – 06/97
The Academy of Economic Studies, Bucharest, Romania: ●Majors: Finance, Banking, and Accounting;
●Diploma Thesis (The Financial Analysis of the Company) Grade: 9/10 (3.8/4); ●Admission Exams
15 GPA: 9.15/10 (3.9/4; top 1.5%; the admission percentage was 16%) ●Received merit scholarship all
semesters.
PROFESSIONAL DEVELOPMENT AND QUALIFICATIONS:
18 ●Licensed Certified Public Accountant (CPA) in GA, USA, in 2003.
HONORS AND ACTIVITIES: ●Have volunteered: -for CILK, Key Largo, FL, USA (cilsf.org): have
guided Social Security customers regarding their benefits and responsibilities in 2013; -for Christian
21 Students Assoc., Bacau, RO: have promoted the Christian living and spirituality in the city during
2010-2012; -for the International Foundation for Global Studies, Athens, Georgia, USA: have prepared
the financial statements, tax returns, and budgets for the years 1998 – 2000 ●Have participated at the
24 meetings of the National Honorary Accounting Fraternity (Beta Alpha Psi), Banking and Finance
Society, International Student Club during 1998-2000; ●Have placed in the Romanian National
Physics Team (the top 15 students of my age group in the nation) in 1988, and in the top 1-5
27 positions in regional Physics and Mathematics competitions in the years 1986-1990.”
However, my successes cannot continue due to the Defendants who have destroyed at least 20%
-proximately, at least 50%- of my intellectual skills; and have caused me other health issues.
30 Please order Defendants to compensate me and stop future abuses against me and others.