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Exhibit 15: State of Maryland VS. Voncelle James Husband for the Assault on our Process Server, Lance Fulgium and his ADA Driver, Robert Bozgoz on 6 June. « Case 2000397609 - CARMEN HUFF indicates that the State’s Attorney’s for Montgomery County has a copy of the RAW video of Voncelle James and her husband assaulting Lance and Robert on 6 June. It is shows that Margaret Bozgoz was NOT at Voncelle James house on 6 June. e The State’s Attorney for Montgomery County issued a District Court Charing document at the Bozgoz’s Process Server, Lance Fulgium’s request for Voncelle James Husband assaulting Lance and Robert, 2D00397609. ¢ Signed by Defendant John J. McCarthy. ¢ Emails e Petition for peace order protection request by M. Sue Bozgoz against Voncelle James for filing a fraudulent peace order and police report to delay District Court Case — Denied ¢ Lance’s Application for charges against Voncelle ¢ Robert's Affidavit take on Fort Meade ref: 06 June incident. a State's Attorney for Montgomery County d 50 Maryland Avene Sock, Maryland 20850 4 at a State of Maryland vs. al aww’ case No.2? hy B41 rhe AAs the victim in the above-referanced case it 1s essential that you provide the St Aitomay's Office with the information ana/or documentation listed below. In order for the State to properly evaluate and prepare the case, you will need to provide these ems NO tate S later than e z FAMLURE T9.PI ANY OF THESE ITEMS BY THE DUE DATE MOST LIKELY RESULT IN THE CASE BEING DISMISSED. Tnank you “. Estimate of repainreplacement cost of Payer at Copy at CARMEN HUFF marione: 240-777-125 Scanned with CamScanner sa = FT | State's Attorney for Montgomery County 50 Maryland Avenue Rockville, Maryland 20850 feel DEPUTY STATE'S ATTORNEYS. FAX (240) 777-7413 LAURA CHASE JOHN. MECARTHY Worn COMMUNITYPROSECLTION. ORG PETER A FEENEY 200347604 Dear Mr. IMs, Complainant: A District Court Commissioner has just issued a District Court charging document at your request and (on your oath alleging the commission of a crime in Montgomery County, Maryland. In order for this case to be properly evaluated and prepared, you must appear in person at the Office of the State's Attorney for Montgomery County on one of the three daysitimes listed below, and you must bring the copy of the charging document given to you by the Commissioner. At that time, you will meet with a representative of the State's Attorney's Office to determine the most appropriate way to proceed with the case. YOU MUST REPORT TO THE OFFICE OF THE STATE'S ATTORNEY ON ONE OF THE FOLLOWING DAYS, AND YOU MUST REPORT DURING APPLICABLE HOURS OF OPERATION (MONDAY; WEDNESDAY a FROM 8:30 A.M. TO 12:30 P.M. ONLY, OR TUESDAY AND THURSDAY FROM 1:30/P.Mj TO 5:00 P.M: ONLY! Thue 5 G--D-Hon Mon 6-24-19.0n_lUes 6-25-14 bare * IMPORTANT: If the dates set forth above require you to visit the Office of the State's Attorney on a Monday, Wednesday eusisisayy a representative of the office will be available to meet with you between 8:30 a.m. and 12:30 p.m. only. = IMPORTANT: If the dates set forth above require you to visit the Office of the State's Attorney on a Tuesday or Thursday, a representative of the State's Attorney's Office will be available to meet with you between 1:30 p.m. and 5:00 p.m. only. + IMPORTANT: Do not come within the first 48 hours after the filing of the charging document! * IMPORTANT: /f you fail to appear for your conference on one of the days designated above, the State's Attorney's Office will decline to prosecute your case. | acknowiedge-réipt ofthis form: Z aaa _ Sti 2d omplainant’s Signature Date KAahl vs Siete. Daas loft udicial disqualification, also referred to as recusal hitps://mail. google com/mailAv0?ik=3aSb8272b38view=pt&-sear f ~ 1 Gmail ADA ADVOCATE Sue Bozgoz Update: Judicial disqualification, also referred to as recusal ADA ADVOCATE Sue Bozgoz Fri, Jul 5, 2019 at 9:11 AM To: "Holland, Tawane" Cc: ADA ADVOCATE Sue Bozgor , Christopher King , Nicky Fulgium , Robert Bozgoz , "adaAdvocateSueBozgoz@pm.me" Bee: Jay DeNofrio , Jeff Blochowicz-2012 civ email Michael Reid , Ms Wandra J , Whitegalacticuizard , maryetta beck Ms. Holland, \/am following up. | am Lance Fulgium's ADA Advocate as stated and as per the reasonable accommodations that | provided to the courts last week. dn 8 July 2018, you stated that the States Attorney was going to drop my son's charges against Mr. James who caily assaulted Lance during his duty as Process Server on 6 June 2019 (see video). | respectfully ask why? As this (equal protection) is a simple constitutional right that everyone has. Also under the ADA Law of 1980, Title Il | respectfully ask you why would say that | have nothing to do with my son's case but that | am only a defendant of another case. For the record and as discussed with Carmen, the case you are referring of stems from my son delivering summons to the Ms. James. Specifically, this case involves retaliation. | wasn't present with Lance. Carmen has the video. Is the States Attomey dropping my son's charges against Mr. James in retaliation of us bringing VA leadership and Voncelle to district court? Please help me understand why his case is going to be dropped? lam CCing Lance above. However, you need to respond to me as his representative please. | ook forward to speaking to you. VR Lioutenant Colonel M, Sue Bozgoz ADA Advocate for Lance Fulgium end too many Wounded Warriors to Gount ‘410-858-0107 {ete tt essen 7/72019, 6:26 PM Gmail - Update: Judicial disqualification, also referred to as recusal ‘hups://mail.google.com/mail/w0?ik=3aSb8272b3&view=pt&sear. lof! “| Gmail ADA ADVOCATE Sue Bozgoz Update: Judicial disqualification, also referred to as recusal ADA ADVOCATE Sue Borger Wea ul, 2019 at 12:05 To: "Holland, Tawana" Co: Christopher King Can you help me understand why you are not proceeding forward in my son's case against Khalil James? | am my son's official ADA representative and Carman said if we had any additional information to send It to her which | did. {also informed her that | wasn't even serving Voncelle and she perjured herself and said | was to procure a false peace order My goal is to ensure this does not happen again. ‘Again, did | misunderstand you? Are you of are you not taking on Khail's case. | am his representative and if YyoU are not, | need to know before I fly him back out here {ote ox isn) TTROI9, 6:25 PM Gmail - FY: Motion Submitted to District Court butps:/mail.google.com/mail/w/02ik=3aSb8272b3.Lview=ptéesear, M1 Gmail ADA ADVOCATE Sue Bozgor FYI: Motion Submitted to District Court 6 messages ADA ADVOCATE Sue Bozgoz Mon, Jun 17, 2019 at 7:19 AM Haynes. Fred (USADC)" , Robert Bozgoz i GRWDCA26B4AGEC9_0000010743.pdt You should get your copy today. s Mon, Jun 17, 2019 at 7:50 ADA ADVOCATE Sue Bozgoz or To: "Haynes, Fred (USADC)" «fred haynes@usdoj gov>, Robert Bozgoz Please kindly give a copy of the recent Motion that we fllec in District Court to VA Attorneys and Mr, Blackwell as well. You ate scheduled to get your hard copy in tne mail today Voncelle James and Mr. Blackwell made it perfectly clear that you guys are coordinating (e.g bogus pre arranged peace order, judges who ignore perjury on petitions? and 10 June 2018, false criminal charges against us? Asrnoted last week, VJ announced that she met with VA Attorneys on 10 June for guidance. This date is significant because she filed faise criminal charges at 9.00 pm at night on 10 June? VA is working overtime at the public's expense | see. Just think what VA could do for Veterans if they spent $$$ on mission vs. trying to destroy service disabled veteran's character. According to several whistle blowers this is part ofthe retaliation playbook In my mind [and mentors minds}, you guys are setting Voncelle up to fail. | think as leaders [Offices of the Court] you must advise her not to continue to perjure herself on petition and court documents as she is doing it without fear Judges will see right through her act. State judges will let things slide, Maybe someone needs to guide the attorneys guiding her). Just a thought as this entice case is foul, It reveals VA's entire playbook on on from start to finish, omeone needs to take charge and make wrong right vs VA falling deeper in embarrassment (Quoted ect deny ADA ADVOCATE Sue Borgoe Mc Haynes and Mr. Blackwell, lam kindly asking the both of you to REMOVE Robert's and My Criminal Record that Voncelle James filed on 10 Jun at 9 pm after meeting with VA Leadership and VA Attorneys. Please see the Motion that we filed with the Dietrict Court today. The written and tape recorded evidence contradicts W perjury and false criminal charges. Her records state | was at her house on 6 Jun, staking, harassing, trespassing and etc with my son. She also states that | drove a Honda Vs a Mustang, She also said | was he: ex-employee. She fled the petition on 6 June. She lied in court on 13 June and said it was filed earlier Either way, we know you met with her on the Sth, Ext bet & 2019, 7115 PM Tot Formal OSC, OSHA and OAWP Complaint against VA L.. bnups://mail.google.com/mail/u/0?ik=3aSb8272b3aview=pidesear.. {(- 1 Gmail ADA ADVOCATE Sue Bozgoz Formal OSC, OSHA and OAWP Complaint against VA Leadership, Mr. Blackwell and Mr Haynes 3 messages [ADA ADVOCATE tu Razjax Sur, dun 9, 2018 at 1288 To: Robert Wikie@va.gov, "Roberts, NaChanza" , Fee ee gr ona Saunt @m gore, Rover Boager “bmaltS@eercant ned, ADs ADVOCATE ‘Sue Bozgoz Cc: "Haynes, Fred (USADC)" , "Blackwell, Darry| G." , Robert Bozgoz , ADA ADVOCATE Sue Bozgoz , Carre ering ceopenuinsshccud com>, Menu, Angas’ VBAUAGO” canta Kenatatbee gov, 1 owence Sees bor att srtonongiee goin Domes ond sawisonhoeuGgrel come, Reeal once russel honore@gmail.com>, Dr Briggs , "Brown, Kevin, VBAVACO” Stoo Benet ts wave Teen E, VORAeo: cTranacoracyt go cana peti oon “Devlin, Margarita, VBAVACO" , "Wunsch, Christopher, VBAVACO" ‘Christopher. Wunsch@va.gov>, “Agee, Karen Y., VBAVACO" , “Clark, Willie, VBAVACO" Ta ates gots Caton! Sean chemus nen G@vegove“Andenon Dabur, VEMBEC™ anderson9@va.gov>, Jay DeNofrio , Brooke.glatz@nbcuni.com, "Burke, sora ane aa el aggoe gow, Ny Eulgun eayigur@gral come etaen Eacoran ciconandaamyna com’ stacy aces @ve gow ehus Kalan eanegit ohua@gral come, Andere, L Marie (ORM)" Bec: luke184lisa@aol.com, Whitegalacticwizard , Jeff Blochowicz-2012 civ email ‘blochowtesGyehoo cme, manjona beck Dana (OAWP) and Mr. Green (OSHA), Mr. Robert NaChanza (Office of Special Counsel), |lam requesting a formal investigation on behalf of Robert and myself from all three Agencies: (1) VA OSHA, (2) Office of Whistleblower Protection, and (3) Office of Special Counsel as this complaint involves being set up by: (1) Mr. Darryly Blackwell, Senior Supervisor Specialist Agent Division Chief, Infrastructure Protection, Policy, Intelligence & Crime Analysis Ofice of Security & Law Enforcement, (2) Mr. Fred Hanyes, Assistant US Atiorney for the District of Columbia and (3) VA Leadership. First Dana, Dana, please provide an update on our initial investigation as your supervisor failed to update us since June 2018, | want to add to our intial 2018 complaint. GS14, Voncelle James perjured herself by filing a fake protective order against Robert and myself. She registered her complaint on 6 Jun2 2019 at approximately 11:00 am AFTER she was adequately served her sumymon. Her action is another illegal retaliation and discrimination charge that has gone criminal 1») a lille concem [for her kids] because her perjury will get ner (according to Rober's and my order 180 days fe vay, VU stated on my perjured form that (1) | am an ex-employee of the VA and (2) was at her house with my son on 6 June stalking her and (2) | have weapons in my Van, He comments about my presence at her home is not a fact af | have indisputable evidence of her and her husband looking into the Van while haressing my son and husband as my son was doing his job serving summon. Wal kind of set up is this? Most who watched the video thinks itis a Patriot Act Set Up? Thoughts? immediately contacted Mr. Haynes and Mr. Blackwell after | reviewed the video. | informed Mr, Blackwell and Mr. Haynes of my concerns and told them of what Voncelle James noted on tape ref: Protective Order against us ‘which we did not receive until the next day. 6262019, AM se TE PETITION FO! 1. 1 Ghe Pstone) am seeking protection from the Respentsn or over whors Ihave eustody or guardianship. ‘whom Ihave guardianship Gr Power of AEOMEY ———-———-——ra Tas a result of the following acts) ondent within the last 30 days on the cates states pelow. (check alt that ep} kicking, CIpunching Clehoking Dstapping shooting Clrape or other sexual ‘offense (or attempt) [Jhitting with object stabbing Coshoving Cithreats of violence jarassment Braking Ceetaining against will trespass Cimalicious destruction of property ‘Cimisuse of telephone facilities and equipment Dimisuse gf elecnle coment i revenge porn Livisual survgillance, JBtother ed eae. psec fp? Ghat 2p S cos oa merge spt ylre ae es bre a pte 8) con): 22 Ger - “ Gred £ & Lich 3 rer) “Ties, ce toon ng Sour cases involving eR i! "eh Year Regis o 8 2 tony Baed. ce oe Lot y nt = one rail ua Le lice Stings ©, nda Eipae seeking protection, ané give date(s) “Gace orden 3% Y aE by the —(1) to provide information, cause information to be \ded, or otherwise assist in an investigation regarding any conduct which the reasonably believes constitutes a violation of section 1341, 1343, 1344, or 1348, any rule or regulation of the Securities and Exchange Commission, or any provision of Federal law relating to fraud against shareholders, when the information or assistance is provided to or the investigation is conducted by (A) a Federal regulatory or law enforcement acency; (B) any Member of Congress or any committee of Congress; or (C) a person with supervisory authority over the sioyee (or such other person working for the employer who has the authority to investigate, discover, or terminate misconduct); or (2) to file, cause to be filed, testify, participate in, or otherwise assist in a proceeding filed or about to be filed (with any knowledge of the employc:) relating to an alleged violation of section 1341, 1343, 1344, or 1348, any rule or regulation of the Securities and Exchange Commission, or any provision of Federal law relating to fraud against shareholders. (b)Enforcement Action. (1)In general—A person who alleges discharge or other discrimination by any persou in violation of subsection (a) may seek relief under subsection (c), by (A) filing a complaint with the Secretary of Labor; or (B) if the Secretary has not issued a final decision within 180 days of the filing of the complaint and there is no showing that such delay is due to the bad faith of the claimant, bringing an action at law or equity for de novo review in propriate district court of the s, which shall have jurisdiction such an action without regard to the amount in controversy. (2) Procedure. (Ajin general. An action under paragraph (1)(A) shall be governed under the rules and procedures set forth in section 42124(b) of title 49, United States Code, (B)Exception. Notification made under section 42121 \(1) Code, shall be made to the porso1.named in the complaint and to the «, (C)Burdens of proof. An action brought under paragraph (1)(B) shall be governed by the legal burdens of proof set forth in section 42121(b) of title 48, Code. (D)Statute of limitations. An action under paragraph (1) shall be commenced not later than 180 days after the date on which the violation occurs, or after the date on which the employee became aware of the violation. (E)Jury trial. A party to an action brought under paragraph (1)(B) shail be entitled to trial by jury. (c)Remedies. (1) In general. An ernpioyee prevailing in any action under subsection (b)(1) shall be entitled to all relief necessary to make the yee whole. (2) Compensatory damages.—Relief for any action under paragraph (1) shall include (A) reinstatement with the same seniority status that the ciniployes would have had, but for the discrimination; (B) the amount of back pay, with interest, and (CG) compensation for any special damages sustained as a result of the discrimination, including litigation expert witness fees, and reasonable attorney fees. (d)Rights Retained by yas. Nothing in this section shall be deemed to diminish the rights, privileges, or emedies of any eng under any Federal or Siaic law, or under any collective 35 bargaining agreement. (e) Nonenforceability of Germain Provisions Waiving Rights and Remedies or Requiring Arbitration of Disputes. (1) Waiver of rights and remedies. — The rights and remedies provided for in this section may not be waived by any agreement, policy form, or condition of employment, including by a predispute arbitration agreement. (2) Predispute arbitration agreements. — No predispute arbitration agreement shall be valid or enforceable, if the agreement equires arbitration of a dispute arising under this section § 1518. Obstruction of criminal investigations of health care offenses 36 Gail - Formal OSC, OSHA and OAWP Complaint against VA hups://mail.google.com/maivuik=sa308z /2DseviEw=placscit ™ 7 ADA ADVOCATE Sue Bozgoz ‘mal OSC, OSHA and OAWP Complaint against VA Leadership, Mr. Blackwell and Mr Haynes 3 messages ur 43 ADA ADVOCATE Sue Bozgoz Sigy dun 8, 201 eee ‘To: Robert Wikie@ve gov, "Roberts, NaChanza" , Rasaaatiiengementnmeaascrerecmanalase!”, IE tt’ GthNavnes, Free (USADC)" , "Blackwell, Darryl G* . Gala: Carn coonmanqnanineii@uiandeany:>,“Kenciix, Angela, VBAVACO" . "Lawrence, Paul R., VBAVACO" . : “Devlin, Margarita, VBAVACO" , "Wunsch, Christopher, VBAVACO™ “Christopher Wunsch@va.gov>, "Agee. Karen Y,, VBAVACO" , "Clark, Wille, VBAVACO" ‘i , LadiiabiSuamastioaiiinsssanienee | (:pteeinnanntinagtt* jaeitadici canes Sm Faneld S VBAVACO" , Neale yialaiaan eins: | "Brown, Kevin, VBAVACO" " be ndtatbiiesnancinad Marie (ORM)" hile a, ieee:

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