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Case: 1:12-cv-01063 Document #: 1 Filed: 02/14/12 Page 1 of 15 PagelD #:1 Jason M. Gonzales Plaintiff, Counter-Defendant, witt COUNTY Case No, 11 SC 6508 v. SAAD S. NOAH Defendant, Counter-plaintiff, 12 C 1063 ¥. Judge Rebecca R. Pallmeyer United States of America ete et al.; Defenslauts, Magistrate .ludge Sidney |. Schenkier NOTICE OF REMOVAL PURSUANT TO 28 USCS § 1446, RULE || OF FRCP FOR THE PURPOSES OF 42 U.S.C.S. § 1331. AND FOR THERE ARE FEDERAL GOVERNMENT'S DEFENDANTS IN THE COUNTER-COMPLAINT UNDER THE JURISDICTION OF THE RECEIVED To: Jason M. Gonzales a Plaintiff Counter-Defendant Will County Adults Detention ioe hf 20 7 95 South Chicago, Street THOMAS G BRUTON Joliet, Illinois, 60436 CLERK, U.S DISTRICT COURT PLEASE BE ON NOTICE, that Defendant Counter-Plaintiff, SAAD S. NOAH (“NOAH”) pro se is moving as a matter of law to remove the above captioned cause including his counter-complaint from Will County 12" Illinois Judicial Circuit Court, County of Will to the United States District Court for the Northem District Court of Illinois, Eastern Division pursuant to 28 USCS § 1446 for such as but not limited to the purposes of 42 (0 dismiss the complaint against NOAH and to impose ‘compensatory and punitive damages against Defendants for the violations of the Conctitutional rights of NOAH. A copy of NOAH'S pleadings are attached hereto and served upon. Respectfully Submitted, SRAD S. NOAH pro se Defendant Counter-Plaint CERTIFICATE OF SE I, SAAD S. NOAH, the under signed declare under the penalty of Perjury that the above Notice and the attachment(s) ae served upon Plaintiff Counter-Defendant Jason M, Gonzales by placing the same in Will ‘County Adult Detention Facility mailing system on November 20, 2011 SAAD S. NOAH

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