Showing posts with label Municipal Pooling Authority. Show all posts
Showing posts with label Municipal Pooling Authority. Show all posts

Bennett v. Collins

Case: Bennett v. Collins
7000-BENNETT Bennett v. Collins

Case Facts


Peter Bennett
PO Box 523
Alamo CA 94507
Telephone:       (925) 705-1812
Facsimile:        (000) 000-0000

In Pro Per




SUPERIOR COURT OF THE STATE OF CALIFORNIA

COUNTY OF CONTRA COSTA-UNLIMITED JURISDICTION

Pete Bennett

                            Plaintiff,     
              v.

Gary Collins, and DOES 1-20, inclusive,

                            Defendants.

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CASE NO.: 

COMPLAINT FOR DAMAGES FOR ASSAULT, BATTERY, FALSE IMPRISONMENT, TRESPASS TO REAL PROPERTY, TRESPASS TO PERSONAL PROPERTY, CONVERSION AND INTENTIONAL INFLICTION OF EMOTIONAL DISTRESS


           
Plaintiff alleges:
GENERAL ALLEGATIONS
1. Defendant Gary Collins is an individual.  Plaintiff Pete Bennett is informed and believes that, at all times herein mentioned, defendant Gary Collins was a resident of Contra Costa County, California.
2. Defendants Doe 1 through Doe 20, inclusive, are sued herein under fictitious names. Their true names and capacities are unknown to plaintiff. When their true names and capacities are ascertained, plaintiff will amend this complaint by inserting their true names and capacities herein.  Plaintiff is informed and believes and thereon alleges that each of the fictitiously named defendants is responsible in some manner for the occurrences herein alleged, and that plaintiff's damages as herein alleged were proximately caused by those defendants. Each reference in this complaint to ''defendant,'' ''defendants,'' or a specifically named defendant refers also to all defendants sued under fictitious names.
3. Plaintiff is informed and believes and thereon alleges that at all times herein mentioned each of the defendants, including all defendants sued under fictitious names, was the agent and employee of each of the remaining defendants, and in doing the things hereinafter alleged, was acting within the course and scope of this agency and employment.

FIRST CAUSE OF ACTION
(Assault)
4. Plaintiff incorporates paragraphs 1 through 3 this Complaint as if the same were fully stated herein.
5. On or about September 21, 2004, defendant Gary Collins came to plaintiff Pete Bennett’s residence at 161 Valle Vista Drive in Danville, California.  Defendant Gary Collins menacingly approached and yelled threatening and offensive words at plaintiff, including threats of death and bodily harm.  Further, defendant Gary Collins attempted to strike and did, in fact, strike plaintiff, thereby inflicting bodily harm upon plaintiff.
6. In doing the acts as alleged above, defendant intended to cause plaintiff an apprehension of a harmful or an offensive contact with plaintiff's person.
7. As a result of defendant's acts as alleged above, plaintiff, in fact, was placed in great apprehension of a harmful contact with plaintiff's person.
8. At no time did plaintiff consent to any of the acts of defendant alleged above.
9. As a proximate result of the acts of defendant as alleged above, plaintiff suffered physical injuries to his elbow, shoulder, arm, knee, leg and chest.
10. As a proximate result of the acts of defendant as alleged above, plaintiff was hurt and injured in his health, strength, and activity, sustaining injury to his nervous system and person, all of which have caused, and continue to cause, plaintiff great mental, physical, and nervous pain and suffering.  As a result of these injuries, plaintiff has suffered general damages.
11. As a further proximate result of defendant's acts, plaintiff has been damaged in that he has been required to expend money and incur obligations for medical services and treatment reasonably required in the treatment and relief of the injuries herein alleged.
12. As a further proximate result of the acts of defendant, plaintiff has incurred medical and related expenses.
13. Plaintiff is informed and believes that, as a further proximate result of the acts of defendant, plaintiff will continue to incur medical and related expenses.
14. As a further proximate result of the acts of defendant, plaintiff was prevented from participating in his usual occupation and thereby lost earnings to his damage.
15. Plaintiff is informed and believes that, as a further proximate result of the acts of defendant, plaintiff's present and future earning capacity has been impaired.
16. The aforementioned conduct of defendant was willful and malicious and was intended to oppress and cause injury to plaintiff. Plaintiff is therefore entitled to an award of punitive damages.

SECOND CAUSE OF ACTION
(Battery)
17. Plaintiff incorporates paragraphs 1 through 3 and 8 through 16 of this Complaint as if the same were fully stated herein.
18. On or about September 21, 2004, defendant Gary Collins came to plaintiff Pete Bennett’s residence at 161 Valle Vista Drive in Danville, California.  Defendant Gary Collins struck plaintiff with his hands on multiple occasions and threw plaintiff to the ground.  Defendant Gary Collins pinned plaintiff to the ground by pressing his knees into plaintiff’s chest while plaintiff was on his back on the ground. 
19. In doing the acts as alleged above, defendant acted with the intent to make a contact with plaintiff's person.

THIRD CAUSE OF ACTION
(False Imprisonment)
20. Plaintiff incorporates paragraphs 1 through 3 and 9 through 16 of this Complaint as if the same were fully stated herein.
            21. On or about September 21, 2004, defendant Gary Collins used physical force and threats of violence, including death threats, to confine plaintiff for a period of time, against his will and without his consent.  Following this period of detention, defendant released plaintiff without charging him with any crime or taking him before a magistrate.
            22. Immediately prior to the acts of defendant herein alleged, plaintiff had been peacefully working in the study in his residence, located at 161 Valle Vista Drive in Danville, California.
            23. Plaintiff did not steal, nor was he in the process of stealing, any property belonging to defendant or anyone else, nor had he committed any crime against defendant or anyone else.
            24. In imprisoning plaintiff, defendant acted with deliberate malice and for the purpose of harassing plaintiff and causing plaintiff physical and emotional harm.

FOURTH CAUSE OF ACTION
(Trespass to Real Property)
25. Plaintiff incorporates paragraphs 1 through 3 and 9 through 16 of this Complaint as if the same were fully stated herein.
26. On or about September 21, 2004, defendant Gary Collins intentionally entered a residence located at 161 Valle Vista Drive in Danville, California of which plaintiff is the occupant and possessor.
27. Plaintiff did not give defendant permission for the entry and, in fact, defendant entered plaintiff’s residence despite plaintiff’s explicit demands for defendant to leave.

FIFTH CAUSE OF ACTION
(Trespass to Personal Property)
28. Plaintiff incorporates paragraphs 1 through 3 of this Complaint as if the same were fully stated herein.
29. On or about September 21, 2004, defendant Gary Collins, without plaintiff's consent, threw plaintiff into an antique table owned by plaintiff.
            30. In doing the acts above, defendant proximately caused damage to said table.  Plaintiff is informed and believes that the cost to replace or repair said table is approximately $400.00.
31. The aforementioned conduct of defendant was willful and malicious and was intended to oppress plaintiff. Plaintiff is therefore entitled to an award of punitive damages.

SIXTH CAUSE OF ACTION
(Conversion)
            32. Plaintiff incorporates paragraphs 1 through 3 of this Complaint as if the same were fully stated herein.
            33. At all times herein mentioned, and in particular on or about September 21, 2004, plaintiff was, and still is, the owner and was, and still is, entitled to the possession of the following personal property, namely: an antique table. 
34. Plaintiff is informed and believes that on or about September 21, 2004 and at 161 Valle Vista Drive in Danville, California, the property described above had an approximate value of $400.00.
            35. On or about September 21, 2004, defendant Gary Collins, without plaintiff’s consent, intentionally damaged said antique table by throwing plaintiff into it, all to plaintiff’s detriment.
            36. The aforementioned conduct of defendant was willful and malicious and was intended to oppress plaintiff. Plaintiff is therefore entitled to an award of punitive damages.

SEVENTH CAUSE OF ACTION
(Intentional Infliction Emotional Distress)
37. Plaintiff incorporates paragraphs 1 through 36 of this Complaint as if the same were fully stated herein.
38.  Defendant’s actions of physically attacking plaintiff, verbally intimidating plaintiff, damaging plaintiff’s personal property and trespassing on plaintiff’s real property, as alleged in this Complaint, were knowing, intentional, and willful, and done with a reckless disregard of the probability of causing plaintiff emotional distress.
39.  As a proximate result of defendant’s conduct, as alleged in this complaint, plaintiff suffered severe mental anguish and emotional and physical distress, all to his general damages.
            40. In acting in the manner described in this Complaint, defendant’s conduct was malicious and oppressive, and was carried out in willful and conscious disregard of plaintiff’s rights and safety and subjected plaintiff to cruel and unjust hardship.
PRAYER FOR RELIEF
            WHEREFORE, plaintiff Pete Bennett demands against defendants, and each of them, as follows:
1. For general damages according to proof;
2. For medical and related expenses according to proof;
3. For lost earnings, past and future, according to proof;
4. For punitive damages;
5. For interest as allowed by law;
6. For costs of suit herein incurred; and
7. For such other and further relief as the court may deem proper.

Dated:                                                                        


                                                                                    ________________________
                                                                                    Peter Bennett
                                                                                    In Pro Per




The Murders







The Loretta Hale Murder

Nov 11 2011

The Bhatia case should be murder investigation, the Hale case was conveniently closed but should be reopened as on or about March/April 2014 an Alamo mom was found on the trails above Alamo with single gunshot wound to the temple which to me sound just like the SFPD Lester Garnier shooting from back in 1988 and my arson case in 2004 sounds like the bombing of the IRS Agents car in 1988 sent the investigators round file leaving them enough to run over and kill homeless for life insurance just like the LA Grandma's story.







The Roma Bhatia Case

Nov 12 2011

The Bhatia case should be murder investigation, the Hale case was conveniently closed but should be reopened as on or about March/April 2014 an Alamo mom was found on the trails above Alamo with single gunshot wound to the temple which to me sound just like the SFPD Lester Garnier shooting from back in 1988 and my arson case in 2004 sounds like the bombing of the IRS Agents car in 1988 sent the investigators round file leaving them enough to run over and kill homeless for life insurance just like the LA Grandma's story.







The Gary Vinson Collins

Nov 12 2011

The Bhatia case should be murder investigation, the Hale case was conveniently closed but should be reopened as on or about March/April 2014 an Alamo mom was found on the trails above Alamo with single gunshot wound to the temple which to me sound just like the SFPD Lester Garnier shooting from back in 1988 and my arson case in 2004 sounds like the bombing of the IRS Agents car in 1988 sent the investigators round file leaving them enough to run over and kill homeless for life insurance just like the LA Grandma's story.








THe Official Meeting

Nov 1 2011
Bennett/Nordoff/Bryden



During the Chief Bryden held in the office of Walnut Creek City Manager Ken Nordoff who heard my allegations that I'd been attacked again. This critical meeting set a benchmark linking The Danville Building Inspector Incident to CNET Arrests, but other incidents were raised that link to least one murder in San Ramon CA.

Within weeks Gary Vinson Collins was dead, along with two Danville Area Moms Roma Bhatia and Loretta Hale of Boy Scout PACK 36 who each died untimely deaths. I personally knew all three victims but Danville Police Officer Steven Tanabe and former Judge Golub were each members of PACK 36 Danville part of the Meridian Council.








Attack The Attorney

Nov 1 2005
Bennett's Attorney Attacked, Threatened and Beaten



The Danville Building Inspector Incident

One day I got a call from my counsel Sage Sepapi with news that he too had been beaten under nearly identical circumstances of ligation about to be brought against the Town of Danville. Within months my counsel went out of his way to get out of representation.

When Chris Butler's testimony against Stephen Tanabe oozed about insurance fraud, arson and other events it was clear as day that Police Officers and DA investigators had been lying to me for years and my collection of over 100 police reports were part of larger criminal operation coming within Contra Costa County.







The Racketeering Charges







Hobbs Act

Nov 11 2011

The arrests of officers began nearly seven years later in early 2011 when the California Department of Justice arrested Chris Butler and Commander Norman Wielsch, when thier faces appeared it was clear I'd been setup but the setup extends to the Bar Association, Contra Costa Superior Court, The Contra Costa District Attorneys offices and further to the municipal pooling authority where claims die with witnesses.

Learn more






The Contra Costa Bar Association

The Council of Judicial Review

Highlights
  • How the bar is controlled
  • The DIRTY DUI
  • The Rules of Court
  • Witness Murders

The personal experience from over 40 years of cases but one day I discovered witnesses in my cases were gone - then I found the truth - they were dead.

Learn more










Related Federal Cases


Highlights
  • How the bar is controlled
  • The DIRTY DUI
  • The Rules of Court
  • Witness Murders

Coming Soon

Learn more









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PEOPLE VS BENNETT, PETER CARVER Count 1, 2 and 3 DISMISSED




Update March 2018
All I wanted was to run my business, have fun with my family and sons.  Instead I kept getting beaten, burned, poisoned, arrested, jailed and run off the road.  


My sons are gone, my cars taken, my license taken, my computers, systems, domains and health then they killed my relatives.  Why I still do not know but I am sure it has something to with 9/11, AT&T, FBI Agent Frank Doyle Jr. 


CMS Case Display 

Online Case Register of Actions

Online Case Register of Actions
Notice
The Superior Court of California, County of Butte declares that information provided by and obtained from this site (www.buttecourt.ca.gov), intended for use on a case by case basis and typically by parties of record and participants, does not constitute the official record of the court. Any user of the information is hereby advised that it is being provided as is and that it may be subject to error or omission. The user acknowledges and agrees that the Superior Court of California, County of Butte is not liable in any way whatsoever for the accuracy or validity of the information provided.

Case Information
Case Number: SCR81833
Case Title: PEOPLE VS BENNETT, PETER CARVER
Case Type: DISOBEY COURT ORDER
Filing Date: 02/04/11

Parties
Name Type Attorney
BENNETT, PETER CARVER DEFENDANT COBERY, KRISTIN
   Charges
Count Filing Document Degree Charge
1 COM Misdemeanor (A) 270    PC FAILURE TO PROVIDE
Plea: NG
Plea Date: 08/29/11
Disposition: 06/17/13
DISMISSED
Sentence:
2 COM Misdemeanor (A) 166(a)(4)    PC DISOBEY LAWFUL COURT ORDER
Plea: NG
Plea Date: 08/29/11
Disposition: 06/17/13
DISMISSED
Sentence:
3 COM Misdemeanor (A) 1320(a)    PC FAILURE TO APPEAR -RELEASED O/R 2/11/13
Plea: NG
Plea Date: 04/08/13
Disposition: 06/17/13
DISMISSED
Sentence:

Actions
Date Action Description
04/05/13 O/R AGREEMENT SIGNED BY DEFT
04/03/13 WARRANT RETURNED & FILED
04/03/13 STATEMENT OF RIGHTS SIGNED BY DEFT
03/18/13 BAIL BOND EXONERATED
  ALADDIN BB#SV5-40009064
03/06/13 BAIL BOND EXONDERATION RETURNED
  WRONG ADDRESS--UNABLE TO FORWARD
02/27/13 WARRANT ISSUED TO BCSO
02/26/13 NOTICE OF ASSESSMENT $220.00 COURT COSTS
  ALADDIN BAIL BONDS SV5-4009064
02/26/13 COMPLAINT FILED 1320(a) PC
  FTA 2/11/13
02/01/13 STATEMENT OF RIGHTS SIGNED BY DEFT
02/01/13 FINANCIAL RESPONSIBILITY STMT FILED
  PD APPROVED
01/16/13 MEMO OF POINTS AND AUTHORITIES IN SUPPORT OF
  MTN TO EXONERATE BAIL BOND PURS TO PC 1305c3
01/16/13 MTN/NTC OF MTN: TO VACATE BAIL FORFEITURE AND
  EXONERATE BAIL BOND PURS TO PC 1305(c)(3)
01/15/13 BAIL BOND EXONERATED
  ALVAREZ BAIL BOND A7-2249760
01/14/13 WARRANT RETURNED & FILED
01/14/13 O/R AGREEMENT SIGNED BY DEFT
11/06/12 SUMMARY JUDGMENT ENTERED
  ALVEREZ BAIL BOND A7-2249760
09/12/12 NOTICE TO SURETY/BONDSMAN RE FORFEITURE
  ALADDIN BAIL BOND SV5-4009064
09/12/12 WARRANT ISSUED TO BCSO
06/11/12 SECOND NTC OF ASSESSMENT $220
  BB A7-2249760 ALVAREZ/AMERICAN CONTRACTORS
05/01/12 NTC OF ASSESSMENT $220
  BB A7-2249760 ALVAREZ BB
04/12/12 NTC: NTC OF RESCHEDULING
  COURT TRIAL RE-SETTING
03/23/12 STATEMENT OF RIGHTS SIGNED BY DEFT
03/07/12 BAIL BOND: SEAVIEW INSUR CO; ALADDIN BAIL BONDS
  BOND # SV5-4009064 & $5000
03/06/12 WARRANT RETURNED & FILED
11/28/11 WARRANT ISSUED TO BCSO
11/18/11 NOTICE TO SURETY/BONDSMAN RE FORFEITURE
  BB A7-2249760 ALVAREZ BB
08/01/11 STATEMENT OF RIGHTS SIGNED BY DEFT
08/01/11 STIPULATION FOR COMMISSIONER TO SIT AS
  JUDGE PRO TEM
08/01/11 FINANCIAL RESPONSIBILITY STMT FILED
08/01/11 STIPULATION FOR COMMISSIONER D. GUNN TO SIT AS
  JUDGE PRO TEM
08/01/11 STATEMENT OF RIGHTS SIGNED BY DEFT
07/14/11 BAIL BOND: AMERICAN CONTRACTORS; ALVAREZ BB
  BOND #A7-2249760 & $2500
07/12/11 WARRANT RETURNED & FILED
  WITH WARRANT ABSTRACT
04/22/11 1ST AMENDED COMPLAINT FILED BY DDA JACK SCHAFER
  DA CASE NO. 0139009394-01 * DOB CORRECTED *
03/18/11 WARRANT ISSUED TO BCSO
02/22/11 CRIMINAL RETURNED MAIL: *see previous NTC TO
  APPEAR RETURNED UNDELIVERABLE
02/07/11 NTC: ARRAIGNMENT
  270 166(a)(4) PC
02/04/11 COMPLAINT FILED BY DDA SCHAFER
  DA 0139009394-01
02/04/11 DECL FOR ARREST WARRANT

Events
Date Time Event Description Dept Code Department/Judge
06/17/13 08:30 PRETRIAL CONFERENCE

Disposition Date: 06/17/13
DISMISSED
B10 HON. DAVID E GUNN, COMMISSIONER
05/20/13 14:00 COURT TRIAL

Disposition Date: 05/20/13
VACATED
B10 HON. DAVID E GUNN, COMMISSIONER
05/20/13 11:00 COURT TRIAL

Disposition Date: 05/20/13
VACATED
B10 HON. DAVID E GUNN, COMMISSIONER
04/08/13 08:35 SETTING FOR COURT TRIAL CT 1-2

Disposition Date: 04/08/13
TRIAL DATE SET
B10 HON. DAVID E GUNN, COMMISSIONER
04/08/13 08:35 FUR ARRAIGNMT -ENTRY OF PLEA CT 3

Disposition Date: 04/08/13
PLED NOT GUILTY; SET FOR TRIAL
B10 HON. DAVID E GUNN, COMMISSIONER
04/03/13 15:00 SETTING FOR COURT TRIAL
  *RETURN ON WARRANT

Disposition Date: 04/03/13
CONTINUED TO 4/8/13
BTA TO BE ANNOUNCED
04/03/13 15:00 ARRAIGNMENT ON FTA (NON VOP) - COUNT 3
  *RETURN ON WARRANT

Disposition Date: 04/03/13
ARRAIGNED; PD RE-APPTD
BTA TO BE ANNOUNCED
02/11/13 08:30 MTN: TO VACATE BAIL FORFEITURE AND
  EXONERATE BAIL BOND PURS TO PC 1305(c)(3

Disposition Date: 02/11/13
GRANTED; EXONERATED UPON PAYMENT OF COST
B10 HON. DAVID E GUNN, COMMISSIONER
02/11/13 08:30 SETTING FOR COURT TRIAL
  *MTN TO ADDRESS BAIL FORF SET SAME DATE
  /TIME

Disposition Date: 02/11/13
FTA; 1320(a); O/R RVKD; B/W ORD; $20000
B10 HON. DAVID E GUNN, COMMISSIONER
02/01/13 08:30 STNG FOR COURT TRIAL - BAIL FORF 9/10/12
  *RTN ON WARRANT*

Disposition Date: 02/04/13
CONTINUED TO 2/11/13
BTA TO BE ANNOUNCED
09/10/12 08:30 SETTING FOR COURT TRIAL
  B/W HELD

Disposition Date: 09/10/12
FTA; BAIL FORF;B/W ORD; BAIL SET $10000
B10 HON. DAVID E GUNN, COMMISSIONER
08/20/12 11:00 COURT TRIAL

Disposition Date: 08/20/12
TRIAL VACATED; FTA B/W HELD
B10 HON. DAVID E GUNN, COMMISSIONER
07/23/12 11:00 COURT TRIAL

Disposition Date: 07/23/12
CONTINUED TO 8/20/12
B10 HON. DAVID E GUNN, COMMISSIONER
06/18/12 11:00 COURT TRIAL

Disposition Date: 06/18/12
TRIAL DATE VACATED AND RESET
B10 HON. DAVID E GUNN, COMMISSIONER
06/18/12 11:00 [D] MTN: CONTINUE

Disposition Date: 06/18/12
GRANTED
B10 HON. DAVID E GUNN, COMMISSIONER
06/18/12 08:37 MARSDEN HEARING

Disposition Date: 06/18/12
DENIED
B10 HON. DAVID E GUNN, COMMISSIONER
04/30/12 08:30 RESETTING OF COURT TRIAL
  ADDRESS BB#A7-2249760 FORF 11/14/11

Disposition Date: 04/30/12
TRIAL DATE RESET
B10 HON. DAVID E GUNN, COMMISSIONER
04/23/12 08:30 RESETTING OF COURT TRIAL

Disposition Date: 04/12/12
VACATED;B10 NOT AVAILABLE;NTA SENT
B10 HON. DAVID E GUNN, COMMISSIONER
03/23/12 08:30 RESETTING OF COURT TRIAL
  *RETURN ON WARRANT*

Disposition Date: 03/23/12
CONTINUED TO 4/23/12
BTA TO BE ANNOUNCED
11/14/11 14:00 COURT TRIAL

Disposition Date: 11/14/11
FTA;$5000 B/W ORDRD;NOCITE;BAIL FORFEITD
B10 HON. DAVID E GUNN, COMMISSIONER
11/07/11 08:30 TRIAL READINESS CONFERENCE

Disposition Date: 11/07/11
TRIAL DATE CONFIRMED
B10 HON. DAVID E GUNN, COMMISSIONER
10/03/11 08:30 PRETRIAL CONFERENCE

Disposition Date: 10/03/11
WAIVED JURY TRIAL; COURT TRIAL SET
B10 HON. DAVID E GUNN, COMMISSIONER
08/29/11 08:30 FUR ARRAIGNMT -ENTRY OF PLEA, APP OF CSL

Disposition Date: 08/29/11
PLED NOT GLTY; WVD TIME; SET FOR PTC
B10 HON. DAVID E GUNN, COMMISSIONER
08/01/11 08:30 ARRAIGNMENT
  *RETURN ON WARRANT*

Disposition Date: 08/01/11
ARRAIGNED; PD APPTD
B10 HON. DAVID E GUNN, COMMISSIONER
03/14/11 08:30 ARRAIGNMENT
  270 166(a)(4) PC

Disposition Date: 03/14/11
FTA; A/W ORD; BAIL SET $2500
B10 HON. DAVID E GUNN, COMMISSIONER
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