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HomeMy WebLinkAboutMINUTES - 09162008 - C.23 (8) APPLICATION TO FILE LATE CLAIM BOARD OF SUPERVISORS OF CONTRA COSTA COUNTY.CALIFORNIA BOARD ACTION SEPTEMBER 16, 2008 Application to File Late Claim ) NOTIC O APPLICANT Against the County, Routing ) The copy of this document mailed to you is your Endorsements, and Board Action.) notice of the action taken on your application by (All Section References are to ) the Board of Supervisors (Paragraph III, below), California Government Code.) given pursuant to Government Code Sections 911.8 and 915.4. Please note the"WARNING"below. Claimant: JACK L. HARRIS o lgIId� Attorney: UNKNOWN AUG 1 2008 Address: 33 KINGSWOOD DRIVE COUNTY COUNSELMARTINEZ CCALIF. PITTSBURG, CA 94565 Amount: EXCEEDS $10,000.00 By delivery to Clerk on: AUGUST 08, 2008 I Date Received: AUGUST 08, 2008 By mail,postmarked on: HAND DELIVERED I. FROM: Clerk of the Board of Supervisors TO: , County Counsel Attached is a copy of the above noted Application to File Late Claim. DATED: AUGUST 11, 2008JOHN CULLEN Clerk,By: DEPUTY II. FROM: County Counsel TO: ClerA of thejBoard of Supervisors ( ) The Board should grant this Application to File Late Claim (Section 911.6). i ( The Board should deny this Application to File Late Claim (Section 911.6). rn DATED: - //-0 k SILVANO B.MARCHESI, County Counsel,By: ' / /� DEPUTY III. BOARD ORDER By unanimous vote of Supervisors present (Check one only) ( ) This Application is granted (Section 911.6). (v}� This Application to File Late Claim is denied (Section 911.6). I certify that this a true and correct copy of the Board's Order entered in its minutes for this date. DATE: DAVID TWA Clerk, By: DEPUTY WARNING (Gov. Code §911.8) If you wish to file a court action on this matter,you must first petition the appropriate court for an order relieving you from the provisions of Government Code Section 945.4 (claims presentation requirement). See Government Code Section 946.6. Such petition must be filed with the court within six (6) months from the date your apRilcation for leave to present a late claim was denied. You may seek the advice of an attorney of your choice in connection with this matter. If you want to consult an attorney,you should do so immediately. IV. FROM: Clerk of the Board TO: (1) County Counsel (2) County Administrator Attached are copies of the above Application. We notified the applicant of the Board's action on this Application by mailing a copy of this document, and a memo thereof has been filed and endorsed on the Board's copy of this Claim in accordance with Section 29703. DATED: DAVID TWA Clerk,By: DEPUTY V. FROM: (1) County Counsel (2) County Administrator TO:'Clerk of the Board of Supervisors Received copies of this Application and Board Order. DATED: County Counsel,By: County Administrator,By: APPLICATION TO FILE LATE CLAIM ? 1 t•{G ? �N 1_J<?,VIUO-)Y HU.0 M1 I i .. •;oy suirelD boy uiujo3lluD ail; o; ;oafgns ;ou suoi;ou o; olguoildde suoi;u;tuul jo sa;n;e;s au; jopun s;il2tj OATUM ;i scopjou;od suirelo ;ioy siujoj►lu3 jopun siu2t4,i :7 • .. s;i 30fire`ant"nn fou saop U;so7 10j;uo0 jo X4unoo aij L '+ •uirelo jelnoipud inoX o; olguoilddu sosuo put solmu;s ogioods ail; ;InsuoD •urtelo ail;Jo ajn;uu ail; uo $uipuodop ja$uol io iopogs ag Xutu palg ag ;snuz ;ms iloiyA.uigl!m pouad suo{;u;iunj oily -Xlddu Atujugj spouad suot;v;iu it a;endos ail; llu pue;siopun o; lui;uosso si notMInsuoo lUSal pue ani;snugxo ;ou si ;sil anoge oily •suzielo s;u$. ling Injapaa jo `uotpounfut jo snurepuuut su dons jailaj ogioods ioj suoi;oe `uot;uuuiapuoo asjanui ui suoi;ou su dons ;od suirelD ;joy aiujojilaD ail; o; ;oofgns ;ou oju ilotilen stuivlo o; Xldde ;ou saop $ulujvm siuy W 4 1 Jack L. Harris 2 33 Kingswood Drive 3 Pittsburg, California 94565 4 Phone: 925-427-0423 VI 5 Fax: 925-427-5423 AUG 0 S 2008 6 CLERK BOARD OF SUPERVISORS CONTRA COSTA CO. 7' In Propria Persona 8 9 BEFORE THE BOARD OF SUPERVISORS to CONTRA COSTA COUNTY 11 12 Application for Leave to File Late Claim for Damages 13 (Government Code Section 911.6. (b) (1) 14 15 Additional Claim(s) for Damages 16 (Government Code Section 910) 17 . i 18 Jack L. Harris, Claimant, 19 V. 20 Contra Costa County, Kathleen J. Parker, Captain, 21 Contra Costa County Sheriff's Office, Respondents 22 23 Name and Address of Claimant 14 Jack L. Harris, 33 Kingswood Dr., Pittsburg, CA. 94,565 25 26 Address to Which Notices Should be Sent 27 Jack L. Harris, 33 Kingswood Dr., Pittsburg, CA. 94565 28 Claimant Jack L. Harris hereby submits his Application for Leave to File a Declaration/Application/Claim of Jack Harris Page 1 of 16 91 3o I agud SLLMH Vuf 3o a itt?ID/uotluotiddd/uotiuiLioaQ u ait3 of anuaZ joj uotluotiddV-stu sltuigns Cgajatj SIJMH • I xOu f luuurtujo 8z 999 'VO `Sjngslltd `'Ja Pooms2uTX EOWL 7 310uf LZ IuaS ag pinogS saailoN gaigM of ssa zppv 9z Sz 099,6 'VO `fzngslltd `Al Pooms..5ut}I ££ `sLurH "I Nauf vz luuwiulD 3o ssaappv Puu auiuN Ez zz sluapuodsag `aoijjO s jjIngS fjunoO ulsoD uuuoD lz `uiulduO `Jax.zud •f uaajulux `f%junoO ulsoO unuoo oz 'A 61 `luuuuulO `sLu*eH •Z NOB f 81 Li (0I6 uoilaaS apoa luauivaanof)) 91 sa�vwvcf X03 (s)tuiutj IuUOIIIPPV sl bl (I) (q) *9*116 uotlaaS apoJ luacuua3no9) £I sa�luuiuQ JOJ lu 913 alu7 allA 01 anuarj ao; uopua►iddV zi ii A.LKnOO VISOO V-d I NOD 01 SWSIAXH&IS d0 CrdVOU aH.L MdOJ92 6 8 ' uuosio l uudoid ul L 9 £Zt,S-LZt-SZ6 :Xu3 s £Zb0-LZtb-9Z6 :3uoud ti 999b6 utulojtiuO `2zngslltd £ aDAUU pooms2ut}I ££ z stuuH •rl xauf I I Late Claim for Damages pursuant to Government Code Section 911.6. (b) 2 (1), based on mistake, thereby permitting the Board of Supervisors to act on 3 all portions of his Claim filed on 2/12/08, and on this additional Claim for 4 Damages pursuant to Government Code Section 910 as follows: 5 6 Application for Leave to File Late Claim for Damages 7 The Board of Supervisors is permitted by Government Code Section 911.6. 8 (b) (1) to grant the late filing of a claim when "The failure to present the 9 claim was through mistake, inadvertence, surprise or excusable neglect and 10 the public entity was not prejudiced in its defense of the claim by the failure 11 to present the claim within the time specified in Section 911.2." Claimant's 12 failure to file the Claim on time, if in fact Claimant did not file on time as 13 reported to him by County Counsel, was due to mistake and excusable 14 neglect. Should the Board of Supervisors not grant this application, a 15 hearing regarding this matter will be pursued in Superior Count pursuant to 16 Government Code Section 946.6. (c) (1), or a civil rights lawsuit may be 17 filed in United States Court. 18 19 Claimant filed a Claim with the Contra Cosa County Board of Supervisors 20 on 2/12/08. On or about 2/28/08 Claimant received an undated letter and 21 incomplete Proof of Service from County Counsel reporting that portions of 22 the Claim, specifically those events that occurred prior to 8/12/07, would 23 not be acted_upon by the Board of Supervisors because the Clairn regarding 24 these events was untimely. 25 26 27 On 3/5/08 Claimant sent a facsimile letter to County Counsel requesting a 28 completed Proof of Service, and.clarification as to whether or not the letter Declarafiori/Application/Claim of Jack Harris Page 2 of 16 I sent to Claimant by Capt. Kathleen Parker was included in the portion of the 2 Claim being forwarded to the Board of Supervisors for action. Capt. 3 Parker's letter was undated and.received by Claimant on 8/13/07 in an 4 envelope postmarked 8/11/07. County Council has since responded by 5 providing the completed Proof of Service, but will not informatively 6 respond regarding Capt. Parker' letter relative to its timeliness in the Claim, 7 responding only that an answer to this question would be legal advice which 8 cannot be given to Claimant by County Counsel. 9 10 As indicated in Claimant's letter to County Counsel, Claimant believed that 11 all of Capt. Parker's actions related to her final decision to revoke 12 Claimant's inmate meeting privilege could be included in the Claim, 13 regardless of when these actions occurred prior to her final decision being 14 made, for example, in the actions of an employer leading to.a final decision 15 to terminate an employee. As this applies to Claimant's Application for 16 leave to File a Late Claim for Damages, Claimant's filing of the initial 17 Claim on 2/12/08, rather than sooner, was a `-`mistake". . 18 19 Also as reported in the Claim and in Claimant's letter to County Counsel, 20 Claimant was intimidated into believing that he might be criminally 21 prosecuted for pursuing anything related to this matter, based on Capt. 22 Parker' false allegation that he had been hostile to her on the phone. 23 Claimant believes that based on Capt. Parker' own anger and antagonistic 24 statements to him by phone, her own covert and lengthy investigation of 25 him, her unjustified interference with his right to employment as a private 26 investigator, and her knowledge that Claimant is retired from law 27 enforcement, that Capt. Parker thought he would interpret her allegation of . 28 hostility by phone as a violation of Penal Code Section 653 (m), for which P Declaration/Application/Claim of Jack Hams w--Page 3 of 16. I criminal defense investigators and attorneys with disrespect because of the 2 nature of their work, that there is also a practice among this group to 3 retaliate against persons who report wrongful and or illegal conduct in 4 Contra Costa County law enforcement agencies, and that this practice has 5 become a common standard, pattern and practice. Examples of such 6 practices are as follows. 7 8 Claimant attended the Contra Costa County District Attorney Investigator 9 Basic Training Course in 1997. Claimant was present during a course 10 presented by a well known and respected Deputy District Attorney on the 11 subject of professional ethics. This instructor told the class, which 12 exceeded a hundred investigator students from several agencies, that 13 although the prosecution and law enforcement were required to adhere to a 14 strict code of professional conduct and ethics, defense attorneys and . 15 investigators had absolutely no code of professional conduct and ethics, 16 strongly suggesting that the latter routinely engaged in dishonest conduct 17 and activities relative to a successful defense. As a result of such teachings 18 and practices, many police officers refuse to be interviewed by private 19 investigators because they believe that their responses will be intentionally 20 altered for the sake of the defense. As a result of such teachings and 21 practices, many prosecuting attorneys when confronted with witness 22 statements obtained by private investigators which are detrimental to their 23 cases, immediately imply dishonesty on the parts .of the private 24 investigators, without regard for the truth. With all of this implied concern r 25 by law enforcement and prosecutors about defense investigators and 26 attorneys essentially violating the law to win cases, there are no significant 27 number of prosecutions and convictions of these individuals. This is 28 because such negative practices by the prosecution and law enforcement are Declaration/Application/Claim of Jack Harris Page.5 of 16 I based mainly on character assassination, and their own dishonesty in order 2 to make convictions, regardless of guilt or innocence. 3 4 As a law enforcement officer, Claimant has reported such serious crimes by 5 law enforcement officers as murder, conspiracy related to concealing illegal 6 drug offenses, unlawful search and seizure for the purpose of theft, and 7 lessor offenses, the results of which Claimant has consistently been 8 retaliated against through termination of employment, harassment, and 9 character assassination, regardless of the truth. 10 11 Claimant previously suspected and reported Pittsburg Police Officer Eric 12 Bergen as possibly being responsible for the murder of Pittsburg Safeway 13 Assistant Manager Cynthia Kempf. Eric Bergen and former Pittsburg 14 -- Police Sgt:George Elsie were later convicted of this murder. As a result of 15 Claimant reporting this information, and information regarding other 16 suspected unlawful activity in the Pittsburg Police Department, Claimant 17 was placed on paid administrative leave for over three years based on false 18 allegations of psychological instability. This was despite Claimant then -19 retiring from the Pittsburg Police Department with a Service Retirement, not 20 a disability retirement, being endorsed to carry a firearm as a retired law 21 enforcement officer, later being backgrounded, inclusive of a lawfully 22 mandated psychological evaluation, and then being hired as.an inspector 23 with the Contra Costa County District Attorney's Office. 24 25 Claimant was terminated from the District Attorney's Office on the day 26 before his last day of probation as the result of reporting, along with another 27 Inspector who was also a witness regarding this offense, that another 28 Inspector had unlawfully seized over forty thousand dollars during the Declaration/Application/Claim of Jack Harris Page 6 of 16 I service of a search warrant, and then had lied in his report in an attempt to 2 justify.the.seizure. The victim of this theft.was Vietnamese, and at that time 3 the Welfare Fraud Unit, which was where Claimant was assigned, 4 concentrated almost only on fraud cases involving Vietnamese people 5 . because they were the most likely to have large sums of cash, gold, and 6 valuable jewelry inside their homes. Claimant later more fully investigated 7 this matter and found several Vietnamese people whose money and jewelry 8 had been seized by the District Attorney's Office, without these people 9 being prosecuted, and where their money and jewelry could not later be 10 accounted for by the District Attorney's Office or the Office of Revenue 11 Collection. Though the evidence of unlawful search and seizure and lying 12 by the Inspector in this case was obvious, he received no known discipline. 13 14 For the above reasons and many others, Claimant has no trust in the Contra 15 Costa County Sheriff and District Attorney to investigate and take 16 appropriate action against their own personnel. Claimant also strongly 17 contends that had the District Attorney prosecuted former Pittsburg Police 18 Chief Leonard Castiglione based on their investigation of the Pittsburg 19 Police Department in 1982, which resulted in evidence of significant 20 unlawful conduct by Chief Castiglione, that Cynthia Kempf would be alive 21 today. It was obvious from that investigation that Chief Castiglione hired 22 certain poorly qualified applicants (thugs!) for the purpose of protecting his 23 cronyism and unlawful conduct. The fact that Robert Kochly was not the 24 District Attorney in 1982 means nothing, because the District Attorney's 25 Office has not since changed regarding their ignorance of unlawful conduct 26 in law enforcement. 27 28 Declaration/Application/Claim of Jack Harris Page 7 of 16 I One of the best examples of discriminatory treatment of private 2 investigators by the Sheriff's Office concerns the case of the private 3 investigator who a few years ago unknowingly carried contraband into the 4 Martinez Detention Facility. The private investigator was arrested, not 5 charged with a crime because there was no intent to violate the law, but 6 then was banned from the jail for life. One of the reasons given for this 7 was that the private investigator might also bring a gun into the jail. The 8 Board of Supervisors should understand that contraband gets into jails and 9 into the prisoner areas of patrol vehicles everyday, due to insufficient 10 searches by law enforcement personnel, and that these.personnel, who are 11 trained far better than private 'investigators to find contraband, are not 12 routinely arrested and banned from police departments, police vehicles, and 13 jails. Had it been a law enforcement officer who did exactly what this 14 private investigator did, it would have immediately been deemed a mistake 15 and the officer would not have been arrested. Regarding concerns about 16 the private investigator bringing a gun into the jail, such concerns are well 17 addressed in section "5)" of this declaration, which substantiates that the 18 Sheriff's Office has shown no reasonable concern for private investigators 19 and other professionals bringing guns into the jail since at least 1985, and 20 that such ineffective jail security should be improved upon immediately. 21 22 Claimant has questioned Capt. Parker' credibility and therefore expounds 23 on this issue as follows. 24 25 Capt. Parker' alleged documented reason for revoking Claimant's inmate 26 visitation privilege is very serious because it relates to the safety and 27 security of the detention facilities and their staff, but Claimant believes this 28 reason to be false. Claimant's belief regarding this issue is based on the Declaration/Application/Claim of Jack Harris Page 8 of 16 1 following facts. 2 3 1) Seemingly out of the ordinary and despite Claimant's alleged serious 4 misconduct, Capt. Parker made no reports of this conduct to the 5 Department of Consumer Affairs Bureau of Security and Investigative 6 Services, the Contra Costa County Superior Court, the Contra Costa 7 _ .County Bar Association, nor to the Claimant, until the Claimant contacted 8 Capt. Parker five months after his first email was sent to the California 9 Association of License Investigators (CALI) announcing knowledge of the 10 alleged abuse, and over a month after his second email was sent to CALI 11 regarding this same issue, it being only the Claimant who initiated contact 12 with Capt. Parker regarding this matter, on the-day after he was denied a 13 meeting with an inmate at the Martinez Detention Facility, without prior - 14 knowledge of the reason for the denial. 15 16 2) Regarding the covert manner in which Capt. Parker acted, and her 17 apparent search for a less invasive reason for revoking Claimant's inmate 18 meeting privilege, other than her possible illegal conduct in obtaining and 19 using his confidential emails, Claimant had received a phone call from 20 Sheriff's Aide Ernesto Lara a few days before he went to the Martinez 21 Detention Facility and was denied a meeting with the inmate. Aide Lara 22 obviously knew that Claimant's inmate meeting privilege had been 23 revoked, but said nothing about this when he phoned the Claimant. Aide 24 Lara instead told Claimant that because Claimant had accepted a new case 25 regarding an inmate, that he needed to verify that Claimant was a licensed 26 private investigator. Claimant ascertained from Aide Lara that his inquiry 27 was allegedly a new procedure in the Sheriff's Office, and then faxed the 28 information to him that had previously been sent to the Court regarding his Declaration/Application/Claim of Jack Harris Page 9 of 16 I private investigator license, the latter being a routine practice regarding 2 private investigator license verifications. Capt. Parker denied knowledge 3 of Aide Lara contacting Claimant for any reason, and therefore Claimant 4 emphasizes that Capt. Parker and Aide Lara have the same fax number. 5 Capt. Parker' denial of knowledge regarding this incident was provided 6 with her words to the effect that, " I did not have Ernesto call you"! Aide 7 Lara subsequently refused to respond to Claimant's inquiry regarding the 8 reason for his phone call to Claimant, and instead referred Claimant to 9 Capt. Parker. It is also out of the ordinary that Aide Lara and or Capt. 10 Parker would verify a private investigator license by contacting the 11 licensee, instead of the Department of Consumer Affairs, the latter making 12 this information available to the public from their Internet Site and by 13 phone, this obviously being the most accurate manner to verify the validity 14 of the license. 15 16 3) Capt. Parker never mentioned a concern regarding security until 17 Claimant asked for a specific reason for her actions, and this was near the 18 end of a second and final phone call to her by Claimant.. Until asked for a 19 specific reason, Capt. Parker had angrily told Claimant words to the effect 20 that she had "a problem with his emails", that Claimant "should have been 21 professional enough to trust and'report the allegations of abuse to the 22 Sheriff's Office", that "how do I know you aren't just coming to the jail to 23 drum up business" related to the allegations of abuse, and additionally, 24 Capt. Parker seemed extremely angry over Claimant.writing in one email 25 that medical staff were allegedly afraid to report their knowledge of abuse 26 to the proper personnel. Later contradicting herself,-Capt. Parker told 27 Claimant that she did not care who he trusted, and when asked if she 28 wanted Claimant to send the complaints of abuse to her, she responded that Dedaration/Application/Claim of Jack Hams Page 10 of 16 I she did not care what Claimant did with the complaints. Most recently and . 2 related to Capt. Parker' own lack of professionalism, she has also failed to 3 acknowledge receipt of information sent to her by Claimant regarding an 4 alleged inmate beating resulting in the inmate reportedly receiving a 5 punctured lung, broken ribs, and a pelvic injury, and then being denied 6 medical treatment, despite Claimant having specifically requested Capt. 7 Parker to acknowledge the receipt of this information. Capt. Parker also 8 reportedly failed to interview witnesses to this incident in a timely manner, 9 the identity of the witnesses having also been provided to her by the 10 Claimant. 11 12 Regarding Capt. Parker' verbal reasons for revoking Claimant's inmate 13 meeting privilege, Claimant's employment related emails are confidential 14 and believed to be protected in that regard under United States Code 2511. 15 Claimant contends that Capt. Parker had no more right to accept and use 16 these emails, than she would have had to take mail from his mailbox, tap 17 his phones, or search his house, without a search warrant. Claimant 18 reminds the Board of Supervisors that he is a United States citizen, and 19 expects to be treated like one. In response to Capt. Parker regarding her 20 feeling that Claimant should have been professional enough to trust and 21 refer the complaints of abuse to the Sheriff's Office, Claimant was bound 22 to act on behalf of the complaining parties, not the Sheriff's Office. In 23 response to Capt. Parker' apparent belief that the FBI has no jurisdiction 24 over such matters, she'is wrong in that the FBI has jurisdiction over all 25 such conduct by law enforcement when acting under color of law. In 26 response to Capt. Parker' alleged concern about Claimant "drumming up 27 work" at the Detention Facilities, implying Claimant can just walk around 28 and hand out business cards, this has never been possible, was never Declaration/Application/Claim of Jack Harris Page 11 of 16 I intended, and meetings with an inmate are always in private small room 2 settings. Additionally, Claimant had only seen one inmate at the Detention 3 Facility throughout 2006 and 2007. In response to Capt. Parker' alleged 4 concern that Claimant could cause inmates to assault staff by privately 5 telling an inmate that if he did not trust the Sheriff's Office to investigate 6 his complaint of abuse, that he could contact private attorneys, civil rights 7 organizations, the FBI, and or himself about such matters, this is nonsense 8 as it is information that others and even the Sheriff's Office might give an 9 inmate, and it is information that can be given to them without a meeting, 10 for example by phone, letter, books or through the media. 11 12- 4) ,Prior, during, and after Capt. Parker revoked Claimant's inmate 13 visitation privilege, she made no contact with the Claimant for the purpose 14 of seeking information regarding the complaints of abuse that had been 15 received by him. Even after Claimant informed Capt. Parker that his 16 second email to CALI was the.result of seeing an apparently inexcusable 17 eye injury to a then recently released inmate, the result of reportedly being 18 repeatedly fist socked in the eye by a Deputy, and Claimant informing 19 Capt. Parker that he himself as police watch commander would be aware of 20 such an inmate injury, Capt. Parker claimed to have no knowledge of this 21 inmate and his injury from any staff including medical staff, and even then 22 she did not ask for or even seem interested in the inmate's identity. Capt. 23 Parker was then apparently more angered by Claimant reminding her that 24 one of the allegations made about this matter was that medical staff were 25 afraid to report the abuse. 26 27 5) Capt. Parker' alleged concerns about safety and security regarding this 28 matter are nonsense when considering that criminal justice professionals, Declaration/Application/Claim of Jack Hams Page 12 of 16 1 for example, police officers, prosecution and defense attorneys, and private 2 investigators are not wonded or searched for weapons and explosives when 3 entering the County Detention Facilities, despite setting off the metal 4 detectors at these locations. To my knowledge, this has been the practice 5 since at least 1985, and this practice remained in effect even after "Nine- 6. Eleven" when security measures at many locations were significantly 7 strengthened. This practice has in fact resulted in both law enforcement 8 and retired law enforcement officer private investigators, the latter being 9 permitted to carry concealed firearms, inadvertently entering the Detention 10 Facilities without removing their firearms. In doing so, they were then 11 exposed to inmates and unarmed law enforcement personnel. Claimant 12 routinely activates the metal detectors in all of the County Courts and all 13 other locations where detectors are installed because of having titanium 14 implants in his back and left hip, at which time Claimant is always wonded 15 and sometimes searched without failure. Claimant has never been wonded 16 or searched when entering any of the Detention Facilities in Contra Costa 17 County. 18 19 6) Every reason given by Capt. Parker for revoking Claimant's inmate 20 meeting privilege lacks merit for the reasons given above, and her 21 disinterest in the allegations of abuse brought to her attention by and 22 through the actions of Claimant indicate that she has ulterior motives for 23, her conduct toward and adverse actions taken against Claimant. The first 24 email sent to CALI by Claimant and intercepted by Capt. Parker announced 25 Claimant' receipt of several allegations of inmate abuse, and Capt. Parker 26' had no apparent interest in the content of those allegations. The second 27 email sent to CALI by Claimant and intercepted by Capt. Parker resulted in 28 Claimant later telling Capt. Parker that this email was written after Declaration/Application/Claim of Jack Harris Page 13 of 16 I Claimant received a report of another incident of alleged abuse which 2 resulted in a serious eye injury to an inmate, and Capt. Parker had no 3 apparent interest in this incident. The latter inmate and his family were 4 afraid to make a complaint of the abuse to the Sheriff's Office for fear of 5 their perceived retaliation. More recently, another complaint of serious 6 inmate abuse brought to the attention of Capt. Parker by Claimant resulted 7 in her ignoring Claimant' request that she acknowledge receipt of the 8 information, and her taking no immediate and appropriate actions to 9 investigate the complaint. 10 11 As documentary evidence regarding some of the complaints that have been 12 received by Claimant, the complaints received which resulted in Claimant's 13 first email to CALI are attached to this Application and Claim, these also 14 having been previously sent to the FBI by Claimant. After Claimant told 15 just one inmate that if he did not trust the Sheriff's Office to investigate his 16 complaint, that he could write to Claimant and or the other recipients 17 previously identified, Claimant received these complaints, obviously 18 because the inmate previously contacted by Claimant told others they could 19 write to the Claimant. 20 21 Capt. Parker's allegations of soliciting complaints, apparently meaning for 22 the purpose of financial income,.based on her other allegation that 23 Claimant was "drumming up business", are nonsense. Claimant never 24 expected to receive and has never received income based on anything 25 related to this matter. Even if Claimant referred one of the complaining 26 inmates to an attorney who then filed.a lawsuit against the County, 27 Claimant would receive no monetary income, inclusive of a referral fee, the 28 latter being not permitted. Claimant believes that Capt. Parker and the Declaration/Application/Claim of Jack Hams Page 14 of 16 I Sheriff's Office may have other motives their unfair treatment of him, 2 exclusive of and not limited to the retaliation and discrimination previously 3 described. The attached letters are not from inmates who were solicited for 4 Claimant's financial benefit, but are from inmates who are asking for help 5 that they obviously do not expect to receive from the Sheriff's Office. 6 7 General Description of the Iniury/Damage/Loss Incurred 8 Claimant's civil rights related to speech and financial income have been 9 violated, and he has and will continue to"suffer loss of income, inmate and 10 attorney clients, mental anguish, anxiety, humiliation, anger, and stress as a 11 result of Capt. Parker's actions. 12 13 Names of Public Employees Causing the Injury/Damage/Loss 14 Kathleen J. Parker, Captain, Contra Costa County Sheriff's Office. and . 15 possibly Joseph P. Caruso, Commander, George M. Lawrence, 16 Undersheriff, and Warren E. Rupf, Sheriff, Contra Costa County Sheriff's 17 Office: 18 19 Amount of Claim 20 The amount of loss suffered by Claimant in the form of income and 21 emotional injury exceeds ten thousand dollars, and this is not a limited civil 22 case. 23 24 I, the Claimant, certify under penalty of perjury pursuant to the laws 25 of the State of California that the foregoing is true and accurate. 26 27 Dated: August 8, 2008 28 Declaration/Application/Claim of Jack Harris Page 15 of 16 1 es ectfully sub 'Ited, 2 3 a ,k L. a 4 5 attachments: Initial Claim Filed on 2/12/08 6 Inmate Letters 7 8 9 10 11 - 12 13 14 - 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Declaration/Application/Claim of Jack Hams Page 16 of 16 I Jack L. Harris RECE1 VE 2 33 Kingswood Drive FEB. 2 2008 3 Pittsburg, California 94565 CLERK BOARD OF 4 phone: 925-427-0423 cONrRacos ACo� soRs 5 'fax: 925-427-5423 6 7 In Propria Persona 8 9 BEFORE THE BOARD OF SUPERVISORS 10 CONTRA COSTA COUNTY 11 Claim for Damages 12 (Government Code Section 910) 13 14 Jack L. Harris, Claimant, 15 V. 16 Contra Costa County, Kathleen J. Parker, Captain, 17 Contra Costa County Sheriff s Office, Respondents 18 19 Claimant, Jack L. Harris, hereby submits his Claim for Damages pursuant to 20 : California Government Code Section 910 as follows: 21 22 Name and Address of Claimant 23 Jack L. Harris, 33 Kingswood Dr., Pittsburg, CA. 94565 24 25 Address to Which Notices Should be Sent 26 Jack L. Harris, 33 Kingswood Dr., Pittsburg, CA. 94565 27 28 Declaration and Claim of Jack Hams Page 1 of 6 I Date/Place/Circumstances of Occurrence Giving Rise to Claim 2 Claimant is a licensed private investigator in the State of California doing 3 business as Jack L. Harris, Private Investigator, P.O. Box 8493, Pittsburg, 4_.. CA. 94565, phone/fax 925-427-0423/5423, P.I. Lic, No. PI 10640. 5 6 On 8/13/07, Claimant received an undated letter from Capt. Kathleen 7 Parker, a copy'of which was reportedly sent to Commander Joseph P. 8 Caruso, which reads as follows: 9 10 "This letter is to serve as official notice that your clearance into the 11 Sheriff's Office Detention Facilities has been revoked. As a licensed 12 private investigator you were cleared to enter the Main Detention 13 Facility (MDF) to assist pro-per inmates. It is. apparent from your 14 emails, and your phone calls to me, that you are using your clearance 15 into the MDF as a means to solicit inmates and staff to file claims of 16 abuse against the Sheriff's Office. Your covert actions are of deep 17 concern to me as it relates to the safety and security of the Facility. 18 Your irresponsible behavior could result in the violent behavior of 19' inmates toward staff. You may consider this matter closed. I request 20 you no longer call me as I find your demeanor to be hostile and 21 unprofessional." 22 23 The content of the above letter from Capt. Parker is intentionally false and 24 misleading. . 25 26 The emails referred to by Capt. Parker are attached to this Claim, and are 27 therefore the best evidence of their content. The emails were deemed Declaration and Claim of Jack Hams Page 2 of 6 I necessary to the safety of the inmates, and were sent confidentially to 2 private investigator members of the California Association of Licensed 3 Investigators (CALI), in Claimant's own capacity as a private investigator 4 and member of CALI. Capt. Parker's wrongful interception and use of the 5 emails may also be a violation of United States Code Section 2511 6 regarding electronic mail. 7 8 Claimant's phone calls to Capt. Parker were made specifically for the 9 purpose of finding out why Claimant's clearance was revoked, and then to 10 explain the facts, this having been done in specific detail before the receipt 11 of Capt. Parker's letter. Claimant was respectful of Capt. Parker at al] 12 times, and was never unprofessional or hostile toward her. Claimant 13 believes that the use of the word "hostile" by Capt. Parker was for the 14 specific purpose of intimidating Claimant into silence and or not 15 immediately pursuing a legal challenge to her actions. This is because Capt. 16 Parker knew Claimant is retired from law enforcement, and would therefore 17 interpret her wording as coercive and to mean that Claimant could be 18 falsely, but criminally prosecuted based on her false allegations of hostile 19 phone calls. To the contrary, Capt. Parker was herself at times during the 20 phones calls with Claimant, unprofessional, hostile and angry. 21 22 Several months ago during a meeting between Claimant and a client, Sean 23 Shields, at the Martinez Detention Facility-regarding a_criminal defense 24 case, Shields alleged instances of physical abuse by deputies at the Facility, 25 and that complaints of such abuse made to Facility staff were ignored. 26 Being a retired law enforcement officer in the County, and having been a 27 defense investigator in criminal defense cases for several years, Claimant Declaration and Claim of Jack Harris Page 3 of 6 I informed Shields he had heard of no prior allegations of such abuse. 2 Shields was adamant that the alleged abuse was serious, and even then. 3 Claimant thought that he was possibly exaggerating and or paranoid. 4 Nevertheless, Claimant told Shields that if he heard of such allegations in 5 the future, he could contact the FBI, various civil rights attorneys and or 6 civil liberties organizations, and or ask the complaining parties to write or 7 call Claimant.', Claimant did not expect the written and verbal allegations of 8 abuse that were thereafter received, nor the lack of confidence in Facility 9 staff to investigate the allegations. Claimant therefore forwarded the 10 complaints to the FBI, and discussed the matter with a civil rights attorney, 11 these actions having been requested by some of the complaining parties, and 12 also having been considered necessary by Claimant regarding the safety of 13 the inmates should abuse actually be occurring. Claimant has received no 14 money for work regarding this matter, money has not been a consideration 15 or motivating factor, and Claimant has acted based solely on the seriousness 16 of the allegations that have been made. Claimant's email postings to CAL( 17 regarding this matter were for the purpose of alerting members to the 18 allegations, obtaining additional information regarding the allegations, and 19 for the purpose of thwarting abuse that may be occurring by announcing to 20 CALI that such allegations had been made. Claimant is not passing 21 judgement based on the allegations, but cannot ignore them, and assertions 22 by the complaining parties that they do not trust the Facility staff.regardinQ 23 their complaints. 24 25 Capt. Parker's alleged concerns about Claimant's presence in the Detention 26 Facility have no basis. Claimant had not previously and has no future 27 intention of interviewing anyone at the Detention Facilities regarding Declaration and Claim of Jack Harris Page 4 of 6 I allegations of abuse. Meetings with client inmates are in secured private 2 rooms, and Claimant has never been in a situation where he had access to 3 multiple inmates, nor does Claimant expect that such access will ever be a 4 practice. Prior to Claimant's revocation from the Facilities, he was inside 5 the Martinez Detention Facility twice in 2006, and once in 2007, all these 6 times to meet with the same client, Sean Shields regarding his defense. To 7 the best of Claimant's knowledge, Claimant is not easily seen nor known by 8 a significant number of inmates at the Detention Facilities. 9 10 Claimant's own distrust of the Sheriff and D.A. regarding this matter, as 11 indicated in the attached email, is based on having worked in and retired 12 from the Pittsburg Police Department and Contra Costa County D.A.'s 13 Office, where Claimant suspected and witnessed suspected criminal 14 activities bylaw enforcement personnel, where such activities did occur and 15 were ignored by the Sheriff and D.A., this ignorance have resulted is serious 16 crimes by law enforcement officers employed in this County, including 17 murder and robbery. 18 19 Capt. Parker's alleged concern about violent behavior between inmates and 20 staff as a result of my presence inside the Detention Facility has no basis, 21 unless Capt. Parker and or others perpetuate or fabricate such problems. 22 Such actual problems regarding this matter seem unlikely, but considering 23 such a possibility, would be more likely caused from restricting 24 communications than permitting them. 25 26 Declaration and Claim of Jack Harris Page 5 of 6 I General Description of the Injury/Damage/Loss Incurred 2 Claimant's civil rights related to speech and financial income have been 3 violated, and he has and will continue to suffer loss of income, inmate and 4 attorney clients, and mental anguish, anxiety, humiliation and anger as a 5 result of Capt. Parker's actions. 6 7 Names of Public Employees Causing the Injury/Damage/Loss 8 Kathleen J. Parker, Captain, Contra Costa County Sheriff's Office, and 9 possibly Joseph P. Caruso, Commander, George M. Lawrence, 10 Undersheriff, and Warren E. Rupf, Sheriff, Contra Costa County Sheriff's 11 Office. 12 13 Amount of Claim 14 The amount of loss suffered by Claimant in the form of income and 15 emotional injury exceeds ten thousand dollars and this is not a limited civil 16 case. 17 18 I, the Claimant, certify under penalty of perjury pursuant to the laws of 19 the State of California that the foregoing is true and accurate. 20 21 Dated: February 12, 2008 Respectfully b tted, 22 23 k L. rris 24 attachments: referenced emails and related declarations Declaration and Claim of Jack Hams Page 6 of 6 From: jacklhanispl@comcast.net To: calimembers®yahoogroups.com(CALI Members) Subject: FW:[calimembers]Martlnez Detention: Inmate Abuse Date: Saturday,March 03,2007 10:42:13 AM Prior email is regarding the Contra Costa County Detention Facility in Martinez,California. Jack Harris. --•• Forwarded Message: From:jackihanispl@comcast het To:callmembers®yahoogroups.com(CALI Members) Subject:[calimembers]Martinez Detention: Inmate Abuse Date:Sat,3 Mar 200715:34:05+0000 CALI: In the last three months,have received several written allegations of RECENT ACTIVITY serious physical abuse to inmates by jail staff Please respond if you have New Members 4 anything to add.Jack you,Jack L.Harris,P.I.,Lie.No.PI1o640,phone 925-427- Visit Your Group 0423. [Non-text portions of this message have been removed] Best Company Best place to work Play the Bix.com faceoff to see! Messages in this topic (1) Reply (via web post) Start a new topic Yahool HotJobs Career change Messages I LIOks time? Explore companies Upcoming Events: and new careers CALI Leg Day April 16th I Annual Conference June 28-30, 2007 CALI CONCERNS: We want to hear from youl If you have a question, recommendation or New business? concern about CALI: CALIConcems®cali-pi.org. Get new customers. List your web site '5%13CKXGRouvs in Yahoo! Search. Change settings via the Web (Yahool ID required) Change settings via email:Switch delivery to Dally Digest i Switch format to Traditional Visit Your Group I Yahool Groups Terms of Use I Unsubscrlbe http://mailcenter2.comcast.net/wmc/v/wm/45E9C 189000EE5110000249B2213484373079F... 33/3/200' ----- Original Message ----- From: jacklharrispi@comcast,net To: CALI Members Sent: Tuesday, June 26, 2007 10:38 AM Subject: [calimembers] Abuse at Martinez Jail Members: Have received multiple complaints of serious physical RECENT ACTIVIT abuse to inmates by deputies at Contra Costa County Detention New Facility in Martinez, during last few months. Complaints include Members allegations that medical staff afraid to report abuse. Have been Visit Your Grow; disseminating information to FBI Civil Rights Division in San Francisco and will be disseminating to a few civil rights attorneys I know. Please do not consider any such complaints brought to your Yahoo! F in an attention as isolated, and at least report them to the FBI It's Now PersC:,: yourselves. Relying on the alleged victim to do so is not a good Guides, ne%vs.. recommended. If you are willing, I would also like to be informed advice & mor�. of such complaints brought to your attention,but this is up tp you. If in fact, medical staff are afraid to report such abuse, this matter _ Yahoo! HctJob: is well beyond trusting the Sheriff or D.A. That is my opinion for. Be Discover&ci! this, and multiple other reasons. Jack L. Harris, P.I., Lie. No. Employers P11o640, 925-427-0423 you Upload your [Non-text portions of this message have been remo ved] resume Search Ads Get new Messages in thiS'tOpic (1) Reply_(via web post)-1 Start_:a dew topic__ customer;. - List your in Yahoo! Messages I Links Search. Upcoming Events: Annual Conference June 28 - 30, 2007 CALI CONCERNS: We want to hear from you! If you have a question, recommendation or concern about CALI: CALIConcerns@cali-pi.org. yytroot caouvs _Change settings via the Web (Yahoo! ID required) Change settings via email: witch_delivgry_to_Daily D.iges_t I Switch_format to Traditional Visit Your Group I Yahoo! Groups Terms of Use I Unsubscribe http://m,Ii!center2.comcast.net/wmc/v/wm/468287460005AEDD00002F36220075S942079... i 1 DECLARATION OF JACK HARRIS 2 3 Superior. Court of California 4 County of Contra Costa 5 Judge Theresa J. Canepa, Department 35 6 7 - People v, Jimmy L. Doss 8 Case No. 05-070625-9 9 10 I, Jack Harris, declare as follows: 11 12 My name is Jack Harris and I am a licensed private investigator in the State 13 of California doing business as Jack L. Harris, Private Investigator, P.O. 14 Box 8493, Pittsburg, CA. 94565, phone/fax 925-427-0423/5423, P.I. Lic. 15 No. PI 10640, 16 17 Some of the information in this declaration is out of the ordinary and may 18 be applicable only to the Sheriff, but because it seems necessary to 19 document this.information in the Court file on behalf of the defendant, this 20 has been done. The responsible prosecuting attorney will-be provided by 21 me with a copy of the declaration. 22 23 The Court Order of 7/26/07 appointing me as the defendant's investigator 24 was received in the mail on 7/31/07. I tried to meet with the defendant at 25 the Martinez Detention Facility on 8/2/07 and was informed by a Sheriff's 26 Office Aide that my-authorization to meet with inmates was stopped on Declaration of Jack Hams Page 1 of 7 1 6/28/07. I was informed on 8/3/07 by Capt. Kitty Parker that she stopped 2 my authorization to meet with inmates at the Martinez Detention Facility 3 because of the content of the attached private email of 6/26/07 from me to 4 the California Association of Licensed Investigators. Capt. Parker 5 informed me on 8/6/07 that she would be providing me with written 6 explanation regarding this decision, this having not yet been received. The 7 defendant had also informed me by public phone on 8/6/07 that lie was not 8 able to use the Pro Per Phone, and I relayed this information to Capt. Parker 9 on 8/6/07 with the explanation that the defendant told me he had been 10 denied access to the "code" required to use the Pro Per Phone. The next I t phone call received from the defendant was on 8/12/07, with the use of the 12 Pro Per Phone, and the defendant reporting that this was the first time he 13 had been allowed to use the Pro Per Phone since his last appearance in 14 Court during th week of 8/6-10/07. 15 16 During the phone call from the defendant on 8/3/07, he informed me that the 17 Court was in possession of the police reports regarding this case for pickup 18 by me, and if this is accurate, these reports will be picked up on or soon 19 after 8/13/07. - 20 21 During the phone call from the Defendant on 8/3/07, he infonned me that 22 his trial is set for 8/14/07, but that he intended to ask for a postponement. i 23 had previously informed the defendant that I would need at least 60 days 24 from the date of my notification of Court approval as his investigator, v, hien 25 was expected sooner than 7/26/07, and now because of the delays describcci 26 in this declaration, ask that the Court postpone the trial until at least Declaration of Jack Hams Page 2 of 7 1 10/15/07. lam also scheduled for a pre-paid and reserved vacation out of 2 the State on 9/29/07 though 10/12/07. 3 4 I can perform most of the work regarding this case with only phone 5 communications.with the defendant. When a meeting with the defendant is 6 necessary, I will make such a request of the Court and the defendant, and 7 provide an explanation. Capt. Parker is adamant that I cannot come into the 8 Martinez Detention Facility, and therefore my suggestion is that my 9 meeting(s) with the defendant be arranged between the Court and the to Sheriff's Office to be held at the Court, the Public Defender's Office, or 11 another suitable location. 12 13 During phone contact with Capt. Parker on 8/3/07, it was my understanding 14 that my clearance to meet with inmates at the Martinez Detention Facility 15 was stopped by her because I did not trust the Sheriff and D.A., because I 16 should have referred the inmate abuse allegations to the Sheriff's Office for 17 investigation, because I had written in the email that medical staff were 18 allegedly afraid to report such allegations to the Sheriff's Office, and 19 because she.would not know whether or not I was "drumming up business" 20 at the detention facility, the latter statement being understood to mean that 1 21 had to have a way to assure her that I was not coming into the detention 22 facility to investigate the allegations of abuse rather than the defendant's 23 case. 24 25 During phone contact with Capt. Parker on 8/6/07, it was my understanding 26 that she did not care about my distrust of the Sheriff and D.A., that she Declaration of Jack Harris Page 3 of 7 1 thought I should have been professional enough to report the allegations to 2 the Sheriff for investigation, and that I was definitely not going to be 3 permitted access to the defendant at the Martinez Detention Facility. I 4 asked Capt. Parker for the specific reason for this, and for the first time, she 5 responded that this was necessary in order to prevent problems between the 6 staff and inmates. I respect and understand the latter reason, if there is .7 actually a potential risk of such conduct, but such reasoning has no apparent 8 basis for which I am at fault. I have explained most of the following 9 information to Capt. Parker. 10 11 Several months ago during a meeting with a client at the Martinez Detention 12 Facility regarding an unrelated criminal defense case, the client alleged 13 instances of physical abuse by deputies at the Facility, and that complaints 14 of such abuse made to Facility staff were ignored. Being a retired police 15 officer in the County, and having been a defense investigator in criminal 16 defense cases for several years, I informed the client that I had heard no 17 prior allegations of such abuse. The client was adamant that the alleged 18 abuse was serious, and even then I thought the client was possibly 19 exaggerating and even possibly paranoid. Nevertheless, I told the client th::t 20 if he heard of such allegations in the future, he could ask the complaining 21 parties to write or call me. I did not expect the written and verbal allegations 22 that have thus far been received, nor the apparent lack of confidence in 23 Facility staff to investigate the allegations. I therefore forwarded the 24 complaints to the-.FBI and discussed the matter with a civil rights attorney; 25 these actions'having been requested by some of the complaining parties, and 26 also having been considered necessary by me regarding the safety of the Declaration of Jack Hams Page 4 of 7 I inmates should abuse actually be occurring. I have received no money for 2 my work regarding this matter, money has not been a consideration or 3 motivating factor, and I have acted based solely on the seriousness of the 4 allegations that have been made. My postings to the California Association 5 of Private Investigators (CALI) private website regarding this matter have 6 been for the purpose of alerting members to the allegations, obtaining 7 additional information regarding the allegations, and for the purpose of 8 thwarting abuse that may be occurring by announcing to CALI that such 9 allegations have been made. I am not passing judgement based on these 10 allegations, but I cannot ignore them, and assertions by the complaining I I parties that they do not trust the Facility staff regarding their complaints. 12 13 Capt. Parker's concerns about my presence in the Detention Facility have no 14 apparent basis. I have not previously and have no intention of interviewing 15 anyone at the Detention Facility regarding allegations of abuse, nor have I 16 interviewed anyone else outside the Detention Facility regarding such 17 allegations. My meetings with inmates are in private settings and I have 18 never been in a situation where I had access to multiple inmates,'nor do I 19 expect that such access will be permitted in the future. To the best of my 20 recollection I have been inside the Martinez Detention Facility twice in the 21 last year, to meet with the same client, this client now being incarcerated 22 California State Prison Solano in Vacaville. To the best of my knowled(e I 23 am not easily seen nor known by inmates at the Martinez Detention Facihi \-. 24 My own distrust of the Sheriff and D.A. regarding this matter is based on 25 having worked in and retired from the Pittsburg Police Department and 26 Contra Costa County D.A.'s Office, where I suspected and witnessed Declaration of Jack Harris Page 5 of 7 1 suspected criminal activities by law enforcement personnel, where such 2 activities and their potential did occur, and were ignored by the Sheriff and 3 D.A., such ignorance having resulted is serious crimes by law enforcement a officers in this County afterward. 5 6 Capt. Parker's concern about problems between inmates and staff as a result 7 of my presence inside the Detention Facility has no basis, unless Capt. 8 Parker and/or others perpetuate such problems. Such problems regarding 9 this matter seem unlikely, but considering such a possibility, would be more 10 likely from restricting communications than permitting them, and from 11 spreading rumors about this situation. During my phone conversation with 12 the defendant on 8/6/07, he informed me that a staff member told him that 13 his investigator had been "barred from the jail". I had not previously 14 informed the defendant of this, and Capt. Parker has informed me that she 15 told no one about this decision. Capt. Parker's concern above is a serious 16 one, if accurate and it has a basis, and yet she has made no known written 17 notification to me regarding this matter, despite her stopping my client 18 meeting privilege at the Detention Facility on 6/28/07. 19 20 Regarding Capt. Parker having reportedly stopped my meeting access with 21 clients at the. Detention Facility effective 6/28/07, 1 received a phone cal I 22 from Sheriff's Aide Ernesto Lara on 7/25/07 asking if I was a licensed 23 private investigator, and indicating that this information was needed relati\ e 24 to being theodefendant's investigator. I then faxed the attached information 25 to him at his request, these documents having previously been faxed to 26 Judge Mary Ann O'Malley on 7/19/07 at the request of the defendant, and Declaration of Jack Hams Page 6 of 7 I after there was already some delay in me being appointed as his 2 investigator. Aide Lara did not inform me then that my client meeting 3 privilege at the Detention Facility had already been stopped. On 8/3/07, 4 Aide Lara referred me to Capt. Parker regarding this privilege being 5 stopped. Capt. Parker has informed me that she had no knowledge of Aide 6 Lara phoning me on 7/25/07 as reported above. I have never received a 7 phone call from Detention Facility personnel to verify my license status, this 8 information being accessible and current on the California Department of 9 Consumer Affairs, Bureau of Security and Investigative Services (BSIS) 10 Web Site or through phone contact with BSIS, and such information having I 1 previously and consistently been validated by the Superior Court 12 Department responsible for the particular case. 13 14 1 certify under penalty of perjury in accordance with the laws of the 15 State of California that the foregoing is true, correct, and accurate to 16 the best f my knowledge. 17 18 Signed: t/ Dated: August 13,2007 19 20 attachments: email to CALI and fax to Judge M. O'Malley/Aide E. Lara 21 22 23 24 25 26 Declaration of Jack Harris Page 7 of 7 From: ]acklharrispi@comcast.net To: calimembers@yahoogroups.com (CALI Members) Subject: (calimembers]Abuse at Martinez Jail Date: Tuesday,June 26,2007 10:48:37 AM Members: Have received multiple complaints of serious physical abuse to inmates by deputies at Contra Costa County Detention Facility in Martinez,during last few months. Complaints Include allegations that medical staff afraid to report abuse. Have been disseminating Information to FBI Civil Rights Division In San Francisco and will be disseminating to a few civil rights attorneys I know. Please do not consider any such complaints brought to your attention as isolated, and at least report them to the FBI yourselves. Relying on the alleged victim to do so is not a good recommended. If you are willing, I would also like to be informed of such complaints brought to your attention,but this is up tp you. If in fact, medical staff are afraid to report such abuse,this matter is well beyond trusting the Sheriff or D.A. That is my opinion for this, and multiple other reasons. Jack L.Harris, P.I., Lic. No.P110640, 925-427-0423 [Non-text portions of this message have been removed] Upcoming Events: Annual Conference June 28-30, 2007 CALI CONCERNS: We want to hear from you! If you have a question, recommendation or concern about CALI: CALIConcerns@cali-pi.org. Yahoo! Groups Links <'>To visit your group on the web,go to: http://gro..up_s,y�hoo.com19!g2 /galimemb�r@[ <'> Your email settings: Individual Email i Traditional <'>To change settings online go to: http,/g[gups.yahoo.com/groupLgalimembgrVigin (Yahoo! ID required) <'>To change settings via email: mailto:calimembers-digest@yahoodroups.com htip://miilcenter2.comcast.net/wmc/v/wm/468153FOOOOE7FB7000021642200763692079... 6.-26 21w;- mailto:calimembers-fullfeatured(a yahooarouos com <'>To unsubscdbe from this group,send an email to: callmembers-u nsubscriom <'>Your use of Yahool Groups is subject to: httoJ/docs.yah=com/Info/terms/ http://mailcenter2.comcast.net/wmc/v/wm/468153F0000E7FB7000021642200763692079... 6/26/200! From: jacklharrispi@comcast.net To: calimembers@yahoogroups.com (CALI Members) Subject: Abuse at Martinez Jail Date: Tuesday,June 26,2007 10:38:09 AM Members:Have received multiple complaints of serious physical abuse to inmates by deputies at Contra Costa Count;- Detention Facility in Martinez, during last few months. Complaints include allegations that medical staff afraid to report abuse. Have been disseminating information to FBI Civil Rights Division in San Francisco and will be disseminating is a few civil rights attorneys I know. Please do not consider any such complaints brought to your attention as isolated, and at least report them to the FBI yourselves. Relying on the alleged victim to do so is not a good recommended. Y you are willing, I would also like to be informed of such complaints brought to your attention, but this is up Ip you. If in fact, medical staff are afraid to report such abuse,this matter is well beyond trusting the Sheriff or D.A. That is my opinion for this, and multiple other reasons. Jack L.Harris, P.I., Lic.No. P110 640, 925-427-0423 littp://mailcenter2.comcast.net/wmc/v/wm/468153C80004C 1 F800001 GC22200763692079... 6 Jack L. Harris Private Investigator Ca.Lie.No.P110640 Post Office Box 8493 Telephone (925) 427-0423 Pittsburg, California 94565-8493 Facsimile (925) 427-5423 FACSIMILE MEMORANDUM Date: 7/19/07 To: Judge Mary Ann O'Malley, Department 4 Superior Court of Contra Costa Count~• - -- - - - --- Post Fax Note 7671 ,o pages 3 Phone/Fax: 925-646-2440/957-5903 Te Fro comept. Co. Pages: three Ph"f. Re: People V. Jimmy L. Doss Co. Co. Co. Sup. Ct. Case No. 2-293915-5 Subj: In Propria Persona Investigator As requested by Defendant Jimmy Doss, this will inform the Court that I am available to work as Jimmy Doss' investigator regarding this case. I have previously been an investigator for In Pro Per defendants under the direction of the Superior Court of Contra Costa County, and a copy of my license is attached. I do request compensation at $55 an hour, rather than the previously paid rate of $40 an hour, as $55 an hour is the investigator rate paid by the Contra Costa County Criminal Conflicts Program, and my own hourly rate is $85 an hour. I believe that the Court may approve this request at its option, but if mistaken, or this is not possible,.I will work as the investigator in this case at the lower hourly rate of$40 an hour. This memorandum is concluded. Ia fully sub d, A attachments: license/yellow page listing Page 1 of 1 _. i -1 G11100111 Oeputmsnt a" Rt 11 tF� f � ., � st rt�prklI '�i( ,„ -6ljrea4+ oE Sectrt• t and Investsg2tiv e. S� . k" ! B130X 989002 ( ar artier � ' WEST SAOgAM�NTO .CA.9579' "c- Cil[S f�lttl'322 4000 .. ` R1 _ ! CENSE NO . .,P, I 10640 �cr"uFo . a � YALIR UNTIL yOC OBER 31 , 2C0= RECEIPT N0 . 23.6.00165.' 'wtl therovtston, 0:` Lv ��.►+�1��'4%�3J1�I`S C�DF • is r: . +, a, <a .� y �fy , HARRIS JACK z � Zereon ls'tSsuee a K ;L +P R I V A 1'E I N V E S T'I G g T 0 RRenewal. u> PITTSBUR.G CA 94`5:65 - ---- NON-TRANSFERABLE --- POST IN PUBLIC VIEW ---- ..... .. .. ...... ..i. .. ........-..r �....... ..1.................... ...f7IN� O HP LaserJet 3330 rh. , i n v e n Jul-25-2007 5:21PM Fax Activity Log Job Date Time Type Identification Duration - Pages Result 302 7/10/2007 10:23:49AM Send 6344427 1:12 1 OK 303 7/10/2007 10:25:29AM Send 6344427 1:09 1 OK 304 7/10/2007 11:35:57AM Receive 7012124193 0:25 1 OK 305 7/10/2007 11:59:36AM Receive Fax 0:37 1 OK 306 7/10/2007 5:53:08PM Send 15102799195 2:03 2 OK 307 7/11/2007 10:18:16AM Receive 0:45 1 OK 308 7/11/2007 11:16:18AM Send 6717591 3:50 4 OK 309 7/11/2007 .1:30:15PM Receive US Business Finance 0:29 1 OK 310 7/11/2007 5:34:09PM Receive 0:35 0 No.Fax Detectee 311 7/12/2007 1:54:27AM Receive 0:37 1 OK 312 7/12/2607 8:02:26PM Receive 0:51 3 OK 313 7/12/2007 10:41:22PM Send 15102799195 6:28 11 OK 314 7/12/2007 10:48:12PM Send 15102799195 1:32 1 OK 315 7/12/2007 11:04:33PM Send 6344427 11:53 16 OK 316 7/16/2007 1:33:31PM Send 6344427 2:20 4 OK 317 7/17/2007 2:35:29AM Receive 0:44 1 OK 318 7/17/2007 2:16:07PM Receive CPA Firm 0:41 1 OK 319 7/18/2007 9:48:16AM Receive 9164512322 -0:39. 2 OK 320 7/18/2007 12:44:18PM Send 6344427 1:35 2 OK 321 7/18/2007 2:31:07PM Receive 2399355757 0:25 1 OK 322 7/18/2007 11:23:25PM Send 0:00 0 Power Fail 323 7/18/2007 . 11:24:50PM Monitor Dial 0:00 0 Stop 324 7/18/2001 11:26:27PM Monitor Dial 0:00 0 Stop 325 7/18/2007 11:27:19PM Send 6344427 1:21 3 OK 326 7/19/2007 4:33:24AM Send 15107325791 0:28 1 OK 327 7/19/2007 4:34:26AM Send 9585903 0:15 0 Stop 328 7/19/2007 4:35:32AM Send 9575903 7:35 3 OK 329 7/19/2007 7:54:38AM Receive 925 753 2197 0:22 2 OK 330 7/19/2007 9:13:23AM Receive Command Marketing 0:26 1 OK 331 7/20/2007 12:56:50PM Send ' '- 4391875 0:39 1 OK 332 7/20/2007 1:43:11PM Receive US Business Finance 0:32 1 OK 333 7/20/200711:02:09PM Receive 9253923130 1:29 3 OK 334 7/24/2007 8:25:13AM Receive 3154097233 0:25 1 OK 335 7/24/2007 8:28:32AM Receive 0:35 0 No Fax Oetectec 336 7/24/2007 11:06:OOAM Send 15107325791 0:36 2 OK 337 7/24/2007 12:13:20PM Receive Via Fax 0:32 1 OK 338 7/24/2007 1:10:32PM Receive 1:02 5 OK 339 7/25/2007 1:01:33PM Send 3354679 17:41 3 OK 340 7/25/2007 2:12:51PM Send 6344427 5:37 5 Stop 341 7/25/2007 2:18:44PM Send 6344427 1:10 1 OK Jack L. Iar,>ris Private Investigator Ca.Lic.No.PI 10640 Post Office Box 8493 Telephone (925) 427-0423 Pittsburg, California 94565-8493 Facsimile (925) 427-5423_ FACSIMILE MEMORANDUM Notice:This communication is intended only for the recipient named below and it may contain legally privileged and/or confidential information. If you are not the intended recipient or a person responsible for delivering communications to the recipient,you are hereby notified that any dissemination,distribution or duplication of this communication is prohibited. If you have received this communication in error,please immediately notify my office by telephone and return the original communication to my office at the above address by U.S.Mail. You will be reimbursed all related expenses. Date: 8/15/07 To: Judge Theresa J. Canepa Phone/Fax: 925-646-2440957-5918 Pages: nine Re: People v. Jimmy L. Doss, Case No. 05-070625-6 Subj: Declaration Dear Judge Canepa and/or Staff; Please acknowledge receipt by phone as I do not have your phone number. Please review as soon a possible as I am unable to work on this case unless the defendant is appointed private counsel. Sorry for this, but too many unrelated problems and concerns exist. espectfully ck L. Hams copies to: D.A. and Defendant 1 DECLARATION OF JACK HARRIS 2 3 Superior Court of California 4 County of Contra Costa 5 Judge Theresa J. Canepa,.Department 35 _ 6 (VIA U.S. Mail and FAX: 925-957-5918) 7 People v. Jimmy L. Doss 8 Case No. 05-070625-9 9 to I, Jack Harris, declare as follows: tt 12 My name is Jack Harris and I am a licensed private investigator in-the State 13 , of California doing business as Jack L. Harris, Private Investigator, P.0, 14 Box 8493,.Pittsburg, CA. 94565, phone/fax 925-427-0423/5423, P.I. Lie. 15 No. PI 10640. 16 17 The attached undated letter was received in the mail on 8/13/07 from Capt. 18. Kathleen Parker, after I delivered an initial declaration to the Court 19 regarding this matter on and also dated 8/13/07. 20 21 I regret that I cannot work as the defense investigator on this case, and at 22 least temporarily on any other pro per criminal defense cases under the 23 Superior Court of Contra Costa County involving a defendant who is 24 incarcerated at any of the Contra Costa County Detention Facilities: If the 25 Court appoints private counsel for the defendant in this case, and I agree to M work for that attorney, I will work as the defendant's investigator. My Declaration of Jack Harris Page 1 of 5 I decision regarding this matter is necessary for my own piece of mind, and to 2 insure that the circumstances described in this declaration do not adversely 3 effect the defendant's case. 4 , 5 In response to Capt. Parker's letter, in reference to solicitation of abuse 6 complaints, with the exception of telling an inmate several months ago that 7 he could have other inmates call or write to me if they did not trust the s Sheriff to investigate allegations of abuse, I have not used my prior 9 clearance at the Martinez Detention Facility to solicit any inmates or staff 10 regarding the issue of alleged abuse allegations. To the best of my 11 recollection, I have only been inside the Martinez Detention Facility to meet 12 with a client twice in the last year, both times having met with the same 13 client, who is now incarcerated at Solano State Prison in Vacaville. 14 15 In response to Capt. Parker's claim to have found my actions "covert", and 16 my demeanor "hostile and unprofessional", I have not been "covert" to the 17 degree indicated by Capt. Parker, and was never "hostile and 18 unprofessional" regarding this matter. If anyone has been made to feel 19 hostility toward them and been the target of unprofessional conduct it has 20 been me, this being based on the silent action taken against me by Capt. 21 Parker.on 6/28/07 in revoking my inmate meeting privilege without any 22 inquiry of me whatsoever, her own demeanor, her justification of this. action 23 without a reasonable explanation, Sheriff's Aide Ernesto Lara' unusual 24 inquiry about the status of my license after Capt. Parker's revocation,_ 25 reportedly without the knowledge of Capt. Parker, and particularly because 26 of the defendant being told that I was " barred from jail", before I told him Declaration of Jack Harris Page 2 of 5 I anything about this decision, and also reportedly without the knowledge of 2 Capt. Parker. 3 a I have told Capt. Parker that I do not want to be made to feel uncomfortable 5 in the County where I live and work, based on her actions. For that reason, 6 1 will not work on this or any other criminal defense case in-this County 7 involving an in custody defendant, at this time, unless the defendant is s represented by private counsel and I agree to work for that particular 9 attorney. My statement of being made uncomfortable was initially made to 10 - Capt. Parker because of someone on her staff having told the defendant that 11 his investigator was "barred from the jail", and my concern about what else 12 the staff was told about this. My final decision not to work this or other pro 13 per criminal defense cases in the County is based on Capt. Parker' stated 14 perception of alleged hostility on my part, such allegation possibly implying 15 that I have broken the law, and such hostility having never occurred. 16 17 As I have informed Capt. Parker regarding my email.to the California 18 Association of License Private Investigators on 6/26/07, the Court is 19 informed that this email was not sent as part of any previous or then current 20 investigation by me of alleged abuse at the Martinez Detention Facility. No 21 such investigation or alleged solicitation of abuse complaints as described 22 by Capt. Parker was ever made by me. My wanting to know if such 23 allegations have a significant basis, should not be considered solicitation for 24 the reason and to the degree alleged by-Capt. Parker. The email was sent as 25 the direct result of notification of another allegation of abuse, after seeing a 26 photograph of the injuries to the inmate who was allegedly abused, and for Declaration of Jack Hams Page 3 of 5 1 the reasons given in my previous declaration to the Court. I am a former 2 patrol division and detention facility watch commander for Pittsburg P.D., 3 and as a result of this and other experience, felt that the injuries to this 4 inmate were suspected abuse, when considering that law enforcement 5 personnel have alternative means of restraining people. This information 6 was also reported to the FBI, and will be provided to the Court if necessary. 7 The family of this individual is afraid of retaliation by law enforcement, and 8 have asked in the form of a my perceived demand that I not divulge 9 information regarding this incident to the Sheriff's Office or District 10 Attorney. Contrary to the contention of Capt. Parker, I have encouraged the 11 family of this inmate to make a complaint to the Sheriffs Office because of 12 the evidence that exists, and they refuse to do so. 13 14 At no time since 6/28/07, when Capt. Parker revoked my inmate meeting 15 privilege at the Martinez Detention Facility, has she or any Sheriff's Office 16 personnel made inquiries from me regarding the substance of any of the 17 complaints that have been reported to me regarding alleged inmate abuse. 18 As a result, the attached news article regarding a Wrongful Death Claim 19 from alleged abuse at the Martinez Detention Facility is brought to the 20 attention of the Court. I have had no involvement in the civil claim referred 21 to in this news article, nor in any other similar claims that may have been 22 made against the County. It seems that the incident which brought about the 23 claim in this. news article may have more of a bearing on Capt. Parker's 24 concern related to inmates and staff, than anything I have done or am 25 perceived to have done. 26 Declaration of Jack Hams Page 4 of 5 1 I emphasize for the thorough understanding of the Court that I became 2 aware of these abuse allegations several months ago, that I doubted their 3 validity at the time, but that I did later receive further allegations of abuse 4 which were referred to the FBI and a civil rights attorney, both because 5 some of the inmates wanted this done and because I thought this was the 6 right thing to do. _My email to the California Association of Licensed 7 Investigators was the result of seeing evidence of alleged abuse, and being 8 concerned about the entire situation relative to the safety of inmates. I have 9 not solicited such allegations at the jail, have never had any intention of 10 doing so, and am not investigating these allegations. Capt. Parker's I i contentions regarding the latter are not supported with any evidence to the 12 contrary, despite her having access to records pertaining to the dates and 13 times of my very few meetings with inmates at the Detention Facility. 14 15 Copies of this and my previous declarations are being provided to the 16 District Attorney and Defendant. 17 18 I certify under penalty.of perjury in accordance with the laws of the 19 Statef California that going is true and correct. 20 21 Signed.: � Dated: August 15, 2007 22 V 23 attachments: undated letter and dated envelope from Capt. Parker 24 news article 25 26 I Declaration of lack Harris Page 5 of 5 Warren E. Rupf OFFICE OF THE SHERIFF �►**�'6'; Sheriff Contra Costa County Custody Services Bureau 100O.Ward street George K.Lawrence Martinez,California 94553 (925)3354847 Undersheriff Jack Harris P.O. Box 8493 Pittsburg CA 94565-8493 Dear Mr. Harris; This letter is to serve as official notice that your clearance into the Sheriffs Office Detention Facilities has been revoked. As a licensed private investigator you were Geared to enter the Main Detention Facility.(MDF) to assist pro-per inmates: ;It Is apparent by your e-malls, and your phone calls to me, that you are using your clearance into the MDF as a means to solicit inmates and staff to file claims of abuse against the Sheriffs Office. Your covert actions are of a deep concern tome as It relates to the safety and security of the Facility. Your irresponsible behavior could result in the violent behavior of inmates toward staff. You may consider this matter closed. I request you no longer call me as I find your demeanor to b hostile and unprofessional. Very Truly Yours, r0 Kathleen J. Parker, Captain Custody Services Bureau 1 J Cc: Commander Joseph P. Caruso HONOR. COURAGE COMMITMENT LEADERSHIP TEAMWORK 1 Iz w .2 00 F WA , ,. i?y FIRS tj 940, A p � r err t 5 LUIIIP it U$ldlll]1CS.CUl11 : IAIlUA 1.1 '3 OL t11W11CUd 1VCW5, opufLS, JUU5, L'SLdLQ •,5, '• - 77 Look for the- PG&E sticker for b g' savings on CFLs. F-w—r- Horne News My Town Sports Business Entertainment Life Columns Opinion Help Jobs Cars Homed NewsLibrary Contra Costa Times (Walnut Creek, CA){PUBLICATION2) Family files claim over jail death March 31, 2007 Section: news Edition: FINAL Page: a3 Bruce Gerstman Times Staff Writer A Martinez man died in County Jail because sheriffs deputies used excessive force and failed to send him to a mental.health facility, the man's family said in a claim against the county. The family of 36-year-old Derrick McCrary alleges wrongful death in the October incident in County Jail in Martinez. They seek unspecified damages in the claim, usually the precursor to a lawsuit, filed Thursday. "Instead of helping this man, they severely hurt him," Martinez attorney Angelo Costanza said in the claim. Sheriffs department spokesman Jimmy Lee said he had not seen the claim and declined to comment, Deputies booked McCrary into jail in the early hours of Oct. 1 on suspicion of being under the influence of a controlled substance, the claim says. He appeared paranoid, saying somebody was trying to kill him. Deputies did not take him to the Contra Costa Medical Center for mental treatment, the claim says. • • • ..n.. i . . n... .i_ .''I._ i ,oenccn'Col -i noo... Oil clnnn- l,ontraUostaTimes.com : Contra Cor'a & Alameda News, Sports, Jobs, Cars.^-d Keal Estate rage of "He should have been brought to the medical center immediately," Costanza said. "There were a couple more windows to bring him there, and he still wasn't brought there." A nurse interviewed McCrary for about one minute, but McCrary did not respond to her, the claim says. As deputies brought him to a padded cell, he started }elling irrationally. The nurse recommended that a mental health facility evaluate him later In the morning. About seven deputies grabbed McCrary and forced his face down on the floor of the cell, the claim says. They handcuffed his wrists and shackled his ankles. "Excessive force was used, especially in the cell they brought him into," Costanza said. , He was found dead in his cell 45 minutes later. Reach Bruce Gerstman at 925-952-2670 or bgerstman@cctimes.com. All content© 2007-Contra Costa Mmes(Walnut Creek, CAXPUBLICATION2)and may not be republished without permission. Shop Loml I Classifieds I j Iaa-ra I Homes V. !em.i q#V CMOs silts About The Contra Costa Times I if I Terms of Use&Privacy Statement I Copyright I Site Mao I About MediaNews Gro t..._/e1 Q.10<4ZV71Zn 1 F 1 RQ,P.., a..- 0/1 ci+nn^ i 000 f N C) to D 30 � 0 4 ? 00 I! m u� rw r� m u� -010 b .p CTI C� �W f y { t iJ, Tt) i fl i,�x, �L�a✓��l, m - ✓ Q ti&F iR Yti i J i� it Ih. � r^c.. k !t q✓�►�.t j .S C q � l'�•( J _ 1 I n a v-, C. Gt Lt d I` Wi C vt � I te t✓ vt I C-�C-. CA -r Ic -c o . l e c �/ e-01 v� �.✓ S t S , -fi 0�,l i1 — � � C., o U L C � f b C- 1 I O e t' LA < .1 .. co LL r, COMIRA CQ._ST__A COILNTY DETENT QN FACILITY { ) INMATE REQUEST FOR INFORMATION { )MEDICAL REQUEST To: i From: J e4ri �.', 3r ! '+- ',l Bkg# 1. , ,. r:.xY Date: it._.�. . . .�.., Housing Assignment: Check One: ( )Request Cxj Grievance ( )Appeal ( ),Other .. Request: 'T.. ,. n r r n r r ILx �. '�..,.,�;r�..._#'r 1{� x'�.�a,,, •, , �,w.; QW2 Redd: By: 1� i `flu � .�n � 1• 1 N� � t t r tr M 1 RoutedTo: ANSKM ( )APPROVED O DENIED-(state reason) f I i By: Date: Pink Kept by Inmate Yellow:Reply to Inmate White:To Hooking DET 024:FRM 1/M1 .. ..-_.. ....;.ms:µ.. ..:.,a.....-s,..._.._ .....................,_.....,. ' CONTRA COSTA COUNTY DETENTION FACILITY ( ) INMATE REQUEST FOR INFORMATION ( )MEDICAL REQUEST ` To: tA j..r ! From: (DOB) - . Date: ?� ( } / 1? . Housing Assignment ! 3A.., Check One: ( ) Request Grievance ( )Appeal ( ) Other 1 � Request: >r., hi In'` :i(1 t,T�� tv. fav )r w 1%^ T, r vt,., -t�1.Cj4 {-ivG.`i` 11,',, E' I(•�;.ti ��"L�. I 1 n'e"r i jEf t )`i •.� 41, iT I C � j1 C I 2f i i .,i', Date Recd: / / Rec'd Bv: Routed To: t ANSWER: ( ) APPROVED ( ) DENIED-(state reason) By: Date: Pink:Kept by Inmate Yellow:Reply to Inmate White:To Booking DET 024:FRM 1/2/91 Jack L. Harris Private Investigator Ca.Lie.No.PI 10640 Post Office Box 8493 Telephone (925) 427-0423 Pittsburg, California 94565-8493 Facsimile (925) 427-5423 FACSIMILE MEMORANDUM Notice:This communication is intended only for the recipient named below and it may contain legally privileged and/or confidential information. If you are not the intended recipient or a person responsible for delivering communications to the recipient,you are hereby notified that any dissemination,distribution or duplication of this communication is prohibited. If you have received this communication in error,please immediately notify my office by telephone and return the original communication to my office at the above address by U.S.Mail. You will be reimbursed all related expenses. Date: 11/21/06 To: Wright Morton, Esq. Phone/Fax: 925-256-6600/930-9346 Pages: 31 Re: People v. Sean Shields, Co. Co. Co. Sup. Ct. Case No. 05-981195-1 Subj: Safety of Sean Shields Dear Mr. Morton: Attached are copies of complaints and requests made by Sean Shields while in custody at the Martinez Detention Facility for the period of 10/19/06 through 11/20/06. These documents were obtained by me from Sean Shields today, and are reportedly all of the written complaints and requests he has made. The complaints and requests of 10/19/06 through 11/13/06 have been answered as documented at the bottom of these documents, and the remaining complaints and requests are pending answers.. Sean Shields reportedly fears for his safety, and Deputy Curran is reportedly the staff member most feared by him. Based on the specific information documented by Sean Shields, Deputy Curran may in fact be prone to verbal and physical abuse of inmates. The physical incident documented on 11/20/06 was not addressed by Sean Shields during_ our meeting. Victoria Stafford has indicated that based on her meeting with-Sean Shields on 11/20/06, that he possibly refused an instruction by the staff and was restrained as a result. Sean Shields has a complaint of pain to his neck as a result of the latter incident, and reportedly no other injuries. Page 1 of 2 Sean Shields wants an immediate hearing before Judge Richard Amason regarding this matter, his request for remedy being that all offending staff members be removed from Module D, or that he be assigned to another Module. In the absence of a remedy through such a hearing, or in the event that such a hearing cannot be held immediately, Sean Shields will voluntarily return to CSP Solano. A copy of this memorandum and attachments are being sent to Victoria Stafford, Esq. for general information, and to Audrey Shields, Esq., Sean Shields' sister, at the request of Sean Shields. This memorandum is concluded. Respectful y, J arri attachments: referenced documents copies to. V. Stafford at phone/fax: 510-893-2783 (via male) A. Shields at phone/fax 510-776-7033/217-9229 S. Shields Page 2 of 2 l;V1V IRA U061'A UQUNrY 4 DETENTION FACILITY ( ) INMATE REQUEST FO NFORMATION � )MEDICALS ( To: From: ,�e.a •Y S �e%/.f Bkg#a 006(y 4 0 0 (DOB) is Date:/ / /4 Housing Assignment: Check One: ( ) RequestGrievance ( ) Appeal ( ) Other Request: 176 c r n,, r sr ho t�,4 n e TL"i l'. 'T". w�1/ �r i cJ U�.� a r� i ��e ✓�r,'j' k i n r,� l€! o-))F t'.a m J!o+-A r . `-� c n 4L Wf o odes�, n✓t e C TY1a7 T '1g� r ,1 owe t/i / y I hq+lc Y�0 t i r e e I- r r e, ✓I t /a we' i r e a A CJ. rte_ TOri'�1w,4- , Afy fo Jr jtovl r ✓t 7,rrlf c f e11 M -(o r4-41W14h . iDate Recd: O / / Rec'2 y— Ir Routed7o: t ANSWER: ( )APPROVED ( ) DENIED-(state reason) i e c, M /0 5, c.r— r I I cry. l i. F ` By: Date: of. Pink:Kept by Inmate Yellow:Reply to Inmate White:To Booking DET 024:FRM 1/2/91 i i CONTRA COSTA COUNTY ' DETENTION FACILITY ! f ( ) INMATE REQUEST FOR INFORMATION ( }MEDICAL REQUEST 1 tt / + 1 I From: _S t, ran .`,k , k{r.4'! i'4 0-+6 � Bkg (ooa) Date: 1(7 t -A 0 t 04� ,.Housing Assignment: 3 A i Check One: ( ) RequestGrievance ( ) Appeal ( }Other Request: T h c s r,1 w;tL 4c f Ann e;-, r-r., t t-i. cl ; c1 Nto N E-•� 1 . T,fj 4.2 )tPIGYi4e Qr � . L �D SSf' r r;0,1 C/!-j OM �r"r•1 '/G � t/1� T=1 t� !w/• � ! s � M.t On�} _�(' :4 f�n� A r y we, j 2P �r ' w *�c 1 •t T�f do jr�✓!M Pyj�7� r /T,./i f F"7 f.Y 1r. /1 ✓I C f e-b LA r r+, el 0, dtu ✓1 /' 'is r ,n QSIS Rec'd: 17,3 Rem By* 4`10 b P Routed To: ) APPROVED ( ) DENIED-(state reason) j 1 r- Date: Pink:Kept by Inmate Yellow:Reply to Inmate White:To Booking DET 024:FRM 1/2191. CONTRA COSTA COUNTY DETENTION FACILITY ( ) INMATE REQUEST FOR INFORMATIO ( ) MEDICAL REQUEST �11 I i ;� To: n ' 1�1;�rlL. Ie .CnT. An��✓_ . S . W. e lyi•c From: SBk9# At?0Ka ).;.L4,�ro (DOB) Date: / o / A a / o A Housing Assignment: - j2 " 13 A Check One: ( ) Request Grievance ( ) Appeal ( )Other Request:Thr ", r I � vcrn r1 � ' r .mti�c' n7 J On rig c /l'i >f�yic i >� c� i n � e ✓ G f^JPen._rl� .•j � f JCrt' � ( ! F IN 1/•19 A Ll CA ,'J 1 r. 4' e V:f /1 / r 1 / r tl + iirl P _f . T C4 C. C P CA C1 e U ft 3r 1 'lh n, �•'�., for VA ) / AAE c i n a rd (._, r,l 7 P t a l p✓1 I. Date Recd: Rec'd By Routed To: ANSWER: ( )APPROVED ( ) DENIED-(state reason) i I 4A N By: �( ZC` Date: Pink:Kept by Inmate Yellow:Reply to Inmate White:To Booking DET 024:FRM 1/2/91 CONTRA COSTA COUNTY DETENTION FACILITY _ Gyrt QJa�cc. ! ( ) INMATE REQUEST FOR INFORMATIONMEDICAL I To: From: l�LBkg#.1,V0fi 0A 4 DP ocl Date:�� Ho(usaing Assignment: 7 _ ! 3 A Check One: ( ) Request XGrievance ( ) Appeal ( ) Other r ) Request: Lr► AtCe r w��, jC � a.rrAr WiTA e. nO � 1I S e t N AqU Leta rpmc e. r. jj t ^ hll ior 6C, �CA , MVi 'to rib I Me h j t Routed To: ANSWER: ( ) APPROVED ( ) DENIED-(state reason) ICV , - CCA i By: E' G i C� Date: Pink:Kept by Inmate Yellow:Reply to Inmate White:To Booking DET 024:FRM 1/2/91 CONTRA COSTA COUNTY�� DETENTION FACILITY Re�cweJ �� S�a� Sl ejdf e7 ll Zo 06 ( ) INMATE REQUEST FOR INFORMATION ( ) MEDICAL REQUEST To: RuD� From: Sran AIellb- I-0-p-'67 -Bkg#&1O040;.;LyOD (DOB)' .Date: 3 66 Housing Assignment: 13 A Check One: E ) Request Grievance ( ) Appeal ( ) Other Request: In aec-orel W&� +Ac Ame'ri4aht wi4 11sa hj ;f k A(lt, rifle 4d0 u st 1. 1,A10A no Imm0i "e. SLa11P Sub�t!cle� fv d�3�r ►�w►�nat'��oh oh too(, I f;Jrd a ari vatic-e h erdel� to A my G�� rA d a e-+ r_a n e e w o u�dut' v►'t e In .c01 +t6krV r0ift-1l01MtA+• 011 II19/06 Z c1o"' M%1 ccuyte Ar.vw, 4t MP4Gr_6%l dent: On 1113106 C�en+'v LLlrr'4N nU1- Me InSollbho �_Oh� ✓tme�,"i j t S _ _ _ T��1 it c�IS"Lr'1v�l�wgtlon. L Pr'rur.,J��,h�i.11 0%L k o 4t P vi e irc, �o T, .1cet o or e Date Rec'db 0 Redd By* 1 Routed To: ANSWER: ( ) APPROVED ,(l DENIED-(state reason) yv AAz AQ- SFG S7.Q y6 J /L /=C .J= -ro, /L•m / j UV 1 By: S�i 7-- Date: / a 6 Pink:Kept by Inmate Yellow:Reply to Inmate White:To Booking DET 024:FRM 1/2/91 U(JINTRA UOSIA UOUNTY1 DETENTION FACILITY {I/�o o(, ( ) INMATE REQUEST FOR INFORMATION / ( ) MEDICAL REQUEST , To: .S h p t Ff R t„ ,) F From: J e a n .S k i tJdJ 1-X0-0 Bkg# aoa b 022 y 00 Date: I 1 / /_� / 06- Housing Assignment: 19 ' 13 A Check One: ( ) Request Grievance ( ) Appeal ) Other 1 ( Request: W 11 .� r^IA+Okl1u an o i �y-�I eel' rhe -FloJ 9 ✓ IPI/A�1CC L► f Z F14V� $C[� +EP.V46eq± n dme✓eus i t14mf4x-r fN e Ko rfakJo ,' I be ' rhe Aojtt� t�th C1 CA wl1P_ W"<T_, r.A�Oglitll CAICQ(A �TT �V1 Q ,D,* IT ( C e"T`�l C e ( . T`t a�e CC. ,' ki aft F. rNa- 1nrg l�_,2_. Jta.��i rV_I .t- pe vA+r >n :1.. (_ . SLr;lel� c +Y�,c;I fart i oh c Routed To: ANSWER: ( )APPROVED ( ) DENIED-(state reason) -'�. L✓'- .ice — , i' Date: - Pink:Ke T� by Inmgkte Y I ow:Reply to Inmate kite:To Bookip>! , DET 024:FAM 1%2/91 �-•'.} /. ) jCOIF „ ' `C ' ;S COUNTY I 1 INMATE REQUEST FOF311NFORMATION ( :..),MED.ICAL.REQUEST . ; To: S� rr,�fF �v From:6cah (DOB> Date C1. 7 �Fioustng Assignment P- 13 A Check One: ( )'Request rtevance ( )Appeal; ( ) Other Request ) 14 t5 CtGi'c 'CY P'1" M dtAu Y 'A 01 Ja.� f t. Y AF t: ^. CGtrweb rntl t' �Ir4r1Sa'r+`>i �kA �t�lnPe Mc SiGtjY1W of T C)1A uer�,a�t,M .,sht�J1`s s .pQtt trva th 71,E ko(g ,t v:rR4 SonlaTnlhc rnna � Ot�,nl 4+ �on�tat 4f. a.j he I e-0 f T h:ac� e.,n ah to v et�a1.�C� Icu:�eye ��ns,'vt� >, pI M.1/ 11A 1 �w"wWM +;•'6,G�ct rwl ..h. 'tsU ufr� ' n.) /O At.iP/' C.ti✓1� '. :� �I C• hfr'! � o .tYt�gGtt�laa� aM� firas,� i l902d Tnftr Gtsr� t,nutee�< ��� J7�OX�t*1Cn Gl� roAe of ,')At•. y Y Re,.rJ ra1tiPH ` nn r• &&-Y e. � IL,ec,S 0AQv c , T I I { Date Rec' C ( / Caee'd By tt�i I - kA Routed To::' ANSWER:• ( •)APPROVED ( ) DENIED-(state reason) I I fPink Kept by7nmate Yellow.Reply to.lnmata rWhde Td ookmg DET 024:FRM 1/2191 . CON R , COSTA, COUNTY /CIIITY { ) INMATE REQUEST FQR INFORMATIONr a_ ( ) MEDICAL REQUEST To: Sh,r 'e -ice Ftom: .j...n. f 1y {".1 s cis) Date ) J 4' 1 _Housing Assignment: - 't h Check One: (: )?Request ( Grievance ( ) Appeal ( ),Other Request: r6rrl�,�; �'•lWtPtJ 1;'unai :T .s_�, c ,ter :'.@ ?. +a„ 'Al ;24Ge 54 thi,;( ' X4°4#( 1-k�c' �Lq.�, l�: .:►yti 30 6A"0' ..�,. . TE t 1 ' 7'1 Vd4 z llf� t Nqn�^,lrC��V�#i��1�1• Y �1 63'��1 ry T "' 0"I � ''hR„-T�`_7-�S ��['\ •i Tu�{'-�--�' e , �r�---��ir�eli►a1�°�n !��l1a r:�_i�rN int E.. n--=�-... C➢+^6 YlC faCA:'fC 'I} KI'CT-llE -cn.rJ tnlo.i:er_J A:If.N. t-A4. a Date R c'd /+ ';.('°4 R:0euted Tb ' a ANSWER•{ ( )ARf�,ROVEDO;DENIED (state reason) / By: Date: —J PinRr Kepi by Inmate Yellow;:Replylo Inmate White:To Booking DET 024:FRM'1/2/91 CONTRA COSTA COUNTY OF VT* TTO'N FACILITY { ) INMATE REQUEST FOR' INFORMATION:' ( ) MEDICAL REQUEST To: c i "-T From" 1 a.t� � .. , - DOB .. '.t Date: 11 / d r. a zr housing Assignment; 0- t Check One: ( `) Request yti(j Grievance O.Appeal ( ):Other Request: a marc Yiwas ) yy Q nts t �n11lplJc 'Qar"F'►1« - rnwa !ll r f'iP �n/Irvo At 01 � Q T "•e r ,� 1^h t6 M A P r 1 ok L3 A TLl! !1 C /�••'�u 1J C .441 S I M I:��✓ 'f`i!e.v +}" e. �A.r �A h Int f I rA r W f. Y•r 1S 1('f=Si�/1wtli G11UP QMrI Z too ,F co„srr.<y,n - arm' Afy� i, A AG f<awi +kat 11 �n y r r t f0 Ar`PF1rs +^�4J7 J7�'grNl [ w. rr1a 2.g3 nC an i P. a' f♦ ,.1.. :-)na nr-` o:� '4r Mn'Th e'%° y�g�y �'.,�ha'1•'- A MnJP1.1 '�� th.0ilni J� �fr t hn.k`(n "}`/qty! C-� f/1 ft' ttxnln dNA CLYN �'• 14M(IIM [A Y1 rAr/ • r _ .Gate Red& / 1. %�f), Recd Bv. ::.�: Routed To: ANSWER,:. ( ;)APPROVED: (, ) DENIED-(state reason)` By Date: Pink KOV'by Inmate.` Yellow:Reply to Inmate White:To Booking DET 024::FIRM 112191 CONTRA COSTA _COUNTY D,E' N, I`.i� N FACILITY ( ) INMATE REQUEST FQR.'INFORMATION`' ( ) MEDICAL REQUEST From: •S'e h r c� � f 2a— 61 Bkg# �00 0 21 4uU tooei, Dater I► / �' Housingm ,Assignerif: — i3A Check One: ) Appeal ( ) Other Request: w��, c�Ftfiw'rgf' rM t` 5s cau'stnq Mr e4r�ts�M-ef'a� An4uis1 . Irfr � F4�'�trrr>7alry ih ata�.ri� W��1,''' 0•F-fic.e of t'{�c J�+rri{� :, G S �nlr R Arr,et r�u 'e bei /Zi #a crnji+l!P-1 OF 4J6TI 1Ate-A! #13 -1' o+tf havr 'Ftnr r�aug f a sewdc.o�rrsUr�n- }} {{ f y, y '�" c pro oy irF rur1T �rwlrrtTyaLAneai��Ai's w'4*o't frw- 04 f e0�13i•.I o,r Arla rt t'�'+'w'r A[}l�arn t^1�1'-n 1b 'L cr.J:�.�r- �r`nt �t1 - Gr M1riu'TI014 b"A-1itJitOh r 1 I]VN�jt4t1ONQI nrlorn� l" [P� l iA 00, r J% _ Alio ' T�f �'o%m*,9 -ti�r-'�'IGrASSMPn�. _ i ` DateRcr'i9 r 1Q A Routed Toi ANSWER: ( ).;APPROVED ( -) DENIED-(state reason) BY: Date: /^l Pink:Kept by inmate. Yellowi Reply ta:inmate White:To Booking OFT 024:FRM 112/91 ^r sal�'w�;.'l"3C�'p eon , 'y �. fx• d 5 �4' _. 1 ll / GON.TRA► COSTA COUNTY DETENTION h CILITY 1 ( .):INMATE REQUEST FQFj INFORMATION ( ) MEDICAL REQUEST From Bkg •': �.. ' loos) Date. 1_ / V57.1 f Housing Assignment. r-k-�T—'rev r y Check One: ( :),Rlequest GflevanCe (1),Appeal Request'-T�r�v'� t �+cn c�ipt� e�fAl a,�c(` to y+�rxifs [ tar UnCtlrGal Lralnt�GLr pP Goh'C�ucj P'r�)fGl � 1 �tJG(COi` j c�t—\7'Y� I11kHr� �r �✓c":itr�ec� by] j.; c4. {�,Qsa J C •Cl J :Wft ' e.J{ G7'Q'iTW ! .AT U sk7. V [utru r "i{raGr a cM1tY i,t�_ a'4rV.11 n e r' 4ow' a F 1 Routed, ANSWER OAPPROVED ( ;) DENIED-(state reason) f{k � By Date:_J / Plnk iCgpt.4Y Inmate. Yellow Reply toanmate:` . White:To Booking:, DET 024isE.RM Vmv, . Rd to it frdd, (n N rl t IJ ya�.fdA baa G�OUNTY .�th3- q y � 4, 1 rr. r i IITY': ( j AT ON (. ) MEDICAL REQUEST < 55 To- TTT l _ Frplrn � �s�� �' rr`'.�,�r�s ����-�►'� Bkg# 2acat� od z 4J� Dat2 t yjp b yfHoUsing Assignment " r , •).� '^n r r"hl4 h�v rYY�t}�tju'a'�i kk r°''W,'Y � y ,)t Ctleck One;.'` CnQvance ( ) Appeal` ( ):Otherr .•. Request 3M1�"� � '��� �Pit4'LIf F.A��"'tf'�7)9s1" P'"�p1yF`� t"✓� �0 1/tO � �/d1'I��'I .. .. )1+IN.. Y r r.}\fSY ✓t� a 3+1N {�, 1 >'hv ..f I <, w 11 rr St , V n )S , t 1 f 1 7 r « s' +1N 1>.i A �xv�' r'(gv1 r r,•; �1'rlU4err ¢ r� l h .t °rt t�-, �-,r M 114 t , .. 1 )"DENIED-(state.re,asori) Flj r � tt�i;irY i ,y Y 5 U By Date: Pink Kept byilnmate' Yellow:Reply to Inmate' White:To Booking DET024:FW'1/2191 '' k` CONTRA COSTA COUNTY DETENTION FACILITY ( ) INMATE REQUEST FOR INFORMATION ( ) MEDICAL REQUEST From: Sc ah. " S! ?C(b ?';t�>- 6-7 Bkg#,;�c'06 p..1 400 tmst Date: t 1 / 3 1 .06 Housing Assignment: 6) — 1 3 A Check One: ( ) Request (4 Grievance ( ) Appeal ( ),Other Request: fmiala ee-r •Sna1i Lc ;nr„j 0/VfeSJr00a� AfC,1 aas w0y10Tct P-i. ail, Trrej'Ronsi,�'e 11 / r pr' 4n{th;r.C.( cc,AdUC or cor Jura feet' lrr.y! via .Vrc/.CJ! Oh hti^nJel U<J or' tnc 4co0.r"�yv.t,n++ �,l-��+er O^ .terT dtnY� Shc,!I b� gVol �Pd bV wr( rr'D�^`fir—�� L�n-sn ff 11 tul a�•rna Cnf�.' n� �'�c o�iovc d.(_ -. +N< <� C�.r �3 ✓ r ,j 7 �e t J f d!.r R� C o h.S Tl'�w . o Ir�c4( �. S?C.t"�nt0! k �A v�t>t C_1.J i( f f G PeIa4 _c..a ;tu� �+cr S�cyrrl ff vi �i1J U Y,.(j f'f,'.tn "r PGJ now �t;owre i�ar' ullw�rnf '' a Date Rec'd: / ! Recd By: Routed To: ANSWER; ( ) APPROVED ( ) DENIED-(state reason) By: Date: Pink:Kept by Inmate Yellow:Reply to Inmate White:To Booking DET 024:FRM 1/2/91 M, Bks r r k - •� r CONTRA C ` A.COUNTY .FACILITY ( ) INMATE REQUEST FOR INFORMATION' ( ) MEDICAL REQUEST 3 To: r 7 ✓ �r 1,.,S r From �lJrC ~w '�rlra'I . :`Bkg# :*a(z!r r�r>O ;I {noel ,3 i Date if / HousingAssignment: 1� ) Check One Request ( ) Gnevance\ ( ).Appeal ( :)/Other r Request: k� i P 1 c+r. W ✓ fC c^ ✓ Y ,. Alib�A Ij + epo ii �rr H/ r n r ' >7 wrb` <:icUn"' `. trrnS .0 '•�`a e ;Xej. T .r cncIN 1h �aJ f�.i, ,� u } T,.� on� e�b' oln = 'v c '' nn�,n h ;.rr a ✓�c f G.0 yni o 3 L,,,] a ii ( `� T 4's q^4 ri'ev�V Idol f'. Y,�C G rc.. e^ i' r' �br �tnvF Un:GhC� 1 #' tA"�P,Ljf"S54'iry lAt3 ) n:: 0.reerr}r fr.1,1�t rro tr Gl . /9w�Cr1 ti4f r.f' tr e7� ♦•AV1r�� i hv, .il~' +7n � 4'i firPnt'kl `r Iotmaif vr � r r raN7 't.r tife�lnar- ..,r_ ;f tl C t.,•T V iirn yr V f n:! 1't GT 'J+ry, 'CA;�1•f 'y"'r �` �y y- I r rc t �• -�; Date Recd t / �Y ,r / Recd By [rGt Routed Td �ANSVVER APPROVED DENIED- state reason ( ( ') I , 1 By Date: Plnk Kept by Inmate Yellow Reply tq InTn ie Whlte:to Booking DET 024:FRM'1/2/91. CONT a, VbSTA COUNTY' DET'EN„TION .FACILITY O INMfE REQ^, SIT;FQFhIt�IFORMATfON? ( ` ) MEDICAL REQUEST' mTb V, f'Forp . Ctvt � 1,CrC1t4 "�iZ Bk9#o0p6p�ZtJ t r Date ' ,,, ��'__�_r/ k�gir smg,A$slg�tm��it � � w Check One O Re}gyOst 'G'nevance ( ';) Appeal (' );other r , Requesil�t ( pa .M c 46tiE.Urk r*6n Scm a �hey S_�it��f, kiaa �o'�u�' rCorw�j�av^e- -Very ��41�Ct'�"w�nihctl'�.�li V, Ale >}+�nnt�.lu✓7 ts5'1�M ha GAAr!' ^WQT 4��+:h Si��rdif�a3 �►. 'Kr�t t1+l�varru ou`F ba ta�d �stil( �'cc,ared ' : �e " bawls 4 , ' 'Al(S P i yu ^ ^,ltl'rra J.� 2°4 , J r,y r. p .. /—•r.. ..j� H cyc Seal &” IorrkPd` �� r i�►r�ow esv, "sart� k' � i --A � V, rV i �p � i1/r �'�� 1, •l;: r Y " er , �m ©a1M botxrP '�'dl+ya�^�^ �es aw`�in' ttKe aw 'IoN�orw�au,F.,, , ' 1 ' •T1t�J. -A 1mad ah�`ro.1ti'D t.'�N_ N'�1 t" GokaLFCtf IJ<�t l"t+�f\4���� t 4,.ik a La' 'leD�"irnw„i r�1 1RE6►'!^' 1^, 1!;tS,a�.r` ^ i"1. a CR �IC� j1 2J e4 #1 F 06 f_ Rate ROC ed Routed To: - i ANSWER: ( ).APRROVED ( ) DENIED-(state reason) i QY Date: Pink KepIfby Inate' Yellow:Reply to Inmate White:To Booking bF ON.' m FAM 11?Jg.1' C T H co ' Y Y A ih`3' , }t Y ,i t P I � 1 T,FOF11�F��MA�;10� , BK9# kn ent � YA'Ho ,,�Asstg�mher „ { ,s pt Fromt,.> wsgc C M f� Ix,,I APPeaI t 1 pate -� „uvt`t ,IranGrtieYan, " , , I t � 1 3 t v A i rJn 4 n 4� 4r� �SItgir. r "R rr�s,,lit, r �;I}i"a ���� �`I NIS t reasonl 1 U I .Fru �u ,•°"l n�J"� ��" Y�p 1 oUte - r 4 t,iq I ! 1 ♦ f 1 Y �r 5 , 1 �gll`o�t Pep�`11°lnrt2atA,': BY, nFT.O'�4 f� ref, �s .,•` .cOSh1 ; COUNTY • n &,� 'rr ?'f .f �Ci`,�J ,441+�' I:r�r ✓ 'Mfr;'r 1 '' 95 a h, N'r,F - ' •�• 1�? �',�r i til, � ' ! i 1 , I I f ( ,),INMATE;REQUEST FQf ,,JNORIy)/4TION,+ ;; :M EDICAL REQUEST t ,.r �y� I To; From :�.�a;� �'��*Q��Cf,�' �,=]o;•�fi'7 Bkg#a�&tea L(r�n . Date ,�,�„/ �, ,•;�I��sln�q Ass(�pm�pent 1� 1� � ;' t FA, 1 !� <i 1tf V�Fk ANY tl t! �+ Vr314 rF P�� 'l Cttepk'C<ne �( �p�R�egt�eSt^} ` IGktevanpel Appeal ( )Other: Request.. _" _ , "� p � ItF�r. �Jc �,I�Y�� p f �.;r 11� °•l'�. � �., ' Io vet 4 6c M {Y 4 ;�> > 1�fM�ur +d, �^� d�• .f e f �w4.'. t r w n n r r ., ,i. 1 r r J,A�•�����—tM�n �'.�y �n r •�r f -�'�'�� 1 r7t �I'• '�-i�!{�a�j A V 1 �V�I �f n J� �'.✓1 ny�.yy _�f��C611t��S � U+�—'tr P�t<�Aiq f 't"�Q N 'T"�P`�'�1A r'CI�r, r ; Date Recd �I / �Li /„� phi°Recd'Bv ! w I Yh if ',I IvC VXr 1�'s•,, XS I�Y��r dp IXL aF�:•1 !, R&"8- Q 1 ry `r s�t ✓4 1 s?',/, p e t e1 OU,FD [SENIED=(state reason) S' 1 1 le, 1 y Vv Dater / 1 1 Plnk Kept by:%Inmate YellowsReply to Inmate. White:To.Booking �d :DET 624.FRM.172/91 'CON; r , ,°,, t :r 4� .S, .O'UNTY � 0�� kN.t1"T,,Y ( ') INMATE REQUEST FOR"(NFIORMATION „ ( ) MEDICAL REQUEST „. To .$� @vim t fr'F" wf �f ttrl /C>/' •�Wl�--�--cls°—�T'�ll���ti.i a � Frbmn, 1 �fx�,; � ��? Bkg,#loa 012 qO <, r r tooep Date i1. / J E► HousingAsA. stgnment:. �-- �3 `,' Check One ( -) Request` ,h�` ) rievanee (;{O Appeal ( ) Other " Request "haeiSt1 � I 1� �.t t .t �^c�.c f �t L ^ �,xlnl OLdr�rll 1 y+ K r " r✓�✓,1 rM✓eF�r F Il N �� TM1t--�}��tAr� ,7 ; �i� ^7,4£'�LK ' �1-,�-c--'•�°' et:� �Fn�lt :�":'l G . 1114, ee!rt rr,� ✓r'J,lrM 4 , I ,�L r,.:�i i ,-,. S tyi< 1 ✓, 21/7 f,r t r t f � �' . vi. , i Y r y , } _! �i—G-- '�{ ,,p�L �1-- r I YY Q�"•r A/"� liFr*t'� Lj c Date F7ec'tl�'� 1 ;��d�'/ 3!'It^ �'fec'c'f+pSyti� pp}:t ✓�+orf rot �*��i by er ✓e�i�1 ANSWER (r fgPP QVEE ( ) DENIED (state,reason) FI p +S � .lv'if• .V .•Ii ...Y r 4 - i By: Date: Blnk KepV6y Inmate Yellow:Reply to Inmate White:To Booking 'DET 024 FRM V2/91`. CO��f.T . y. COSTA COUNTY Dit `; a O' ';, , ILITY ( ,) INIv)qTE,FjEQUESTrF,L�iCf�S�ORM4TilON (` ) MEDICAL REQUEST v , Fromt r * _Bkg# It\Q(DB)' Check iObe; (� j;'l�eques ' °F '� �C,Iteva"'nce; ( II Appeal ( );other .Request: " rMir r y, f(1t1 f is wY �,+ Csi k1C� tA.d; 3 Y u4 —��A "' tL^f� r til n�fy vn iii' Cal t + ! ►�- f ¢, rola �,l , �� T I , ( ✓ �. ui c r • �Y j Yet n b � r.. rAA )p a � . f RoutedTo:;' ANSWER! ( �`AppROUED ( ).DENIED (state=reason) •n ,f ; a _ r^ f 4 1 Y r•vl -.:.. I I By Date:_ / dPrink Kept by Inmate Yellowc`Reply to Inmate White:To Booking DET 024'FRM,U2/91 i `SQA: COUNTY Ir i0•AIJJ.yS tVA �'.:piYa n=l�ok�kQ� a[t a9 V$r >r� +cly Vr�ls Y. r .iv > s .f Yu r to tis��Y Y,✓t ly i Jy/ If Ftr F r... .i 1 Ess JiVr, r •• ( :)'INllAA�E+REQUESTT „lIFQRI,4TInN' ", , ( ) MEDICAL REQUEST r t f t I{K p �♦ J. 1 rM i.'4 r +1 Ir I.'� �'w tide_}P° a J�y2 �. h t r✓ 1 ,. -- To r �' � + > sr u tr {� U k $ 6✓ r .' rd r.it ct'>c"yT, rW)5y E'J ldl- ff dv+Y� at r Y �lBkkIF �S ° r Date' a�.t? 5r, ng+Ptsigr�rr)ertt 1 i �7y}�V�cd IA kl�w Check Qme': ( ) R ,�,IeSl tG4kev�nce ( .A) AlPPe+ajl^ O Other _. Request + i \x ;4 r ! t 6 o-. p LJ t N v ,, tIt� ,�d4�'{��� ' '•Ix Y���S�'f S r�t 1 �,Xx� V�.�" Y� '(rv+^"V E.. 50 4�1t .•,u•r t o t .� 7� '.�'t r y �15..,: +) r:Jr4�:: J.✓� '�r ��/�� ':1 F �,. ..0 �r.,� .. 71 .fir t t s F �. Z •4fE f �I.n>,., r{vV �5'T �.1..is .�Y, ts. yl•, y ,�. 51 fe iFl�.jY�{''IxA� y` -. s r Cr r r=r 4'Ylrri.: Ax y A{yy 1 Date,Recrcl;� Routed Ta fU WERE )'DENIED (state reason) r rcu 'rr '„y ni,—� i f Il V .11,11'...."1 1 ivr + i451 4�5 K f ld, S ttw 1 r L 4r 4, � y� gIl¢p {Cr.�r1 a s.. �y I Date / ^Flick KypY;hy'.',Ilrmate "I YeJlq�y;;Reply tq if mate White To Booking DE•T 6'J4•f<�frA 112/91 �- CO` 1" ° , , ' .SQA `C.OUNTY VU, U' f NMATE'� QU, T'Fr0 a?JF�RiAA'I Im ( ;),TA t ICALREQUEST Tos. Fr'om01. Qate t.M' Check Qne ) Other R�GuQStti' E° � �'A Iq < r GA, 6 44 i-: 4tt _ fJ r N Eli : (")�rAF,FR'OED (` )'DENIEDr(state reason) y M 1 E/r LL ` 1..'''... i l 1. 1pt At i•.'v'rY I r1`���r�V4.. 5 ^ �t i�:��i..� 5 I By: ! P[ra(c'l�ept"�y,1c�rhatAt i 1(e11ov{ Reply ta`Inmate White To Booking (r•,DET 024. �RIv{'f/2J51..'J r > ' V _ CO ,:.' �.Rt 0OSTS' COUNTY ��E�:�, � °I0,�J ,I.V ILITY. ,A . r INMATE REQUEST FQR INFORMATION' ' ( ) MEDICAL REQUEST 13k9# t�c�� Dale -=yPastgg,Assignrnent a' ' `` Check Onei ( Request Grievance ( ',) Appeal ( ) 0 her Request bv,: CM1�,W , �R, ,t�lr«� wa 1 "'h z t �r '$Ji ��� J` L'.caYY►1M !"1A' "�� �* �"xAt /''•tftj.S'Q�f' $o.(''� ' Ntr ar 1�+ o u� l 4 t M1 ti+ rt ra a bri C4h' FJI ti-, i sic t ^r hl l M b VIG G' k14t I f.' ar TG(Ji itTY0 .,._ , r A`If'G es ►�Gih ' � 1+"►n8 �ia'J 114 Date Rec'cl Routed To: );'ArPERQ�ED ( );-DENIED•(state,.reason) By Date: Rink Kept by lnrrlate Yellow:Reply to l.nmafe White.To Booking DET 024.FRM 1!2!91 ,.. CO1 r t; ST COUNY �J4A., ( ,1711 x a 4 iN Y CACI .IK ( ;)ANMATE REQUE6T FOR'INil F I RMATIdk, fi) MEDICAL-REQkJEST Tb From'�4 `'^ ''�! ` �' �"" c —^ ? ' Bkg#" >t? 12 �1Ob Date ) + obi Housing Assignment Check One: ( ) Request; „( Grievance ( :) Appeal ( ),Other \ ! Request, " , rw r^ f 1r%� r o' ➢1 c �Pw afn.1 Z -�-� r^M„ a r t ^h �,:if r �it t to� f e ,T t i" lE � r '1" "�,"�"t.. '�✓"4 J"� GCA ut � ►1 ' S }„C k"vi 4 y. T }. Routed Toi` ANSWER^? ( )4A AbVED ( ')>DENIED (state,reason) iJ. ' Y 1 By: Date:. Pink Kept by+°Inmate y06l r Reply to:irimate- White:To Booking. DET 024 FRM 1/2/9.1 CONTRA COSTA COUNTY DETENTION FACILITY { ) INMATE REQUEST FOR INFORMATION { ) MEDICAL REQUEST To: From: Bkg# !Dost Date:—�,J Housing Assignment: Check One: ( ) Request ( ) Grievance ( ) Appeal ( ),Other Request: z h a c_r7 rd w A r,e r I (–oA h J W l 1 n 01 .fie fsi Date Rec'd: / / Rec'd By: RoutedTo: ANSWER: ( )APPROVED ( ) DENIED-(state reason) By: Date: Pink:Kept by Inmate Yellow:Reply to Inmate White:To Booking DET 024:FRM 1/2/91 r' a tC �tl rtA0. i �� � vi I � 13D�— i 1 ----- c Po I !Gc 4✓'of J J ►^1 e. I 7— inn vL .�. ++ _ __--------- C_:fl cc,.y �L G� ; ,'. U.�:` .t�..��s.��3., G cS'� a tn_ ec b yv - D -_ � � Ga �✓ V1}2� fh (�"! C r] � Co Ol 4L V1 L4 1,11 i Patient Name S �l,��S L GQP DOB MR# Contra Costa County Detention Facilities SELF-ADMINISTRATION RULES AND PERMISSION TO CARRY MEDICATION 1. You are responsible for keeping your medication secured at each facility. 2. You are to take the medications as written on the medication package. Med/schedule F'( / w ca-va ybY 0.44 6 LA"%,O" )e., e A'tA T Med/schedule x4r& H Med/schedule 3. Do not trade or sell your pills to other people. This can cause permanent damage or death. 4. If you have any problems with or questions about your medicine, notify the Deputy or nurse or put in a sick call slip. 5. If the FNP / MD changes your medication, you will need to turn in your old pills before receiving the new. If you are released before you finish your pills, take them withou and continue to take them as directed until they'arg0r1�. 7. If you'go to court, you may keep the pills in your pocket with this permission paper. 8. If you do not follow these rules, you will be referred to custody. 9. There will be periodic spot checks by medical and custody. 10. If you want your medication renewed, put in a Sick Call slip 3-4 days before you need more medication. Allergies I have read and understand these r les and instructions. Patient Signature —Date. /1 lP4o(, Reviewed side effects and contraindications. Nurse's Signature1� •f1/1,J ^ Date GAVE THIS PAPER - It authorizes you to carry the medicines listed until �t DISTRIBUTION: BLUE • INMATE • PINK MEDICAL OF IOA(1101) Contra Costa County Name: Detention Facilities DOB: Health Services MRff- ❑ MDF ❑ WCDF ❑ MCDF NO NO t°fit `r��cl�rec�g a�\� \\yo t���0c• J9 •V� Date Medication Comments f I _ (Ir 1 I I j I I I i I I r I I1t 1 I'r I (i_ J ` SIGNATURE/TITLE INIT. SIGNATURE/TITLE INIT. ': SIGNATURE/.TITLE "INIT. SIGNATURE/TITLE INIT HP LaserJet 3330 Jack L. Harris, Private Inves i „ „ e n I 9254275423 Nov-21-2006 10:24PM Fax Activity Log Job Date Time Type Identification Duration Pages Result 687 11/ 4/2006 4:59:31PM Receive 0:38 0 No Fax Detected 688 11/ 4/2006 7:45:27PM Receive 0:38 0 No Fax Detected 689 11/ 6/2006 6:11:22PM Receive 0:38 0 No Fax Detected 690 11/ 7/2006 10:50:09AM Receive 0:39 1 OK 691 11/ 7/2006 7:24:20PM Receive FAX 0:29 1 OK 692 11/ 7/2006 8:05:50PM Receive 0:39 0 No Fax Detected 693 11/ 8/2006 9:28:31AM Receive Trinity Financial 0:28 1 OK 694 11/ 8/2006 10:28:07PM Receive 19254292283 0:35 - 1 OK 695 11/ 8/2006 11:20:50PM Send 4292283 1:26 2 OK 696 11/ 8/2006 11:26:OOPM Receive 19254292283 • 0:28 1 OK 697 11/ 9/2006 7:24:06AM Receive 0000000000 0:32 1 OK 698 11/ 9/2006 11:04:11AM Send 6344427 0:00 0 Busy 699 11/ 9/2006 11:05:11AM Send 4395128 0:37 2 OK 700 11/ 9/2006 11:05:53AM Send 6344427 1:17 2 OK 701 11/ 9/2006 11:42:52AM Receive Business Loans'Made 0:26 1 OK 702 11/ 9/2006 4:49:15PM Receive 0:36 0 No Fax Detected 703 11/10/2006 11:52:46AM Send 7797114 0:33 1 OK 704 11/11/2006 9:28:15PM Receive 0:38 0 No Fax Detected 705 11/12/2006 3:33:33PM Receive 0:38 0 No Fax Detected 706 11/14/2006 1:10:12PM Send 6344427 10:53 14 OK 707 - -11/14/2006 6:55:15PM Receive 0:30 1 OK 708 11/15/2006 9:32:26AM Receive Trinity Financial 0:20 1 OK 709 11/16/2006 12:56:24PM Receive 0000000000 0:32 1 OK 710 11/16/2006 1:11:51PM Send 4395128 0:26 1 OK 711 . 11/16/2006 5:34:24PM Receive 0:39 0 No Fax Detected 712 11/17/2006 11:02:45AM Send 6344427 0:55 1 OK 713 11/18/2006 8:21:27AM Send 14154314526 1:54 2 OK 714 11/19/2006 10:41:19PM Receive 0:52 1 OK 715 11/20/2006 11:17:54AM Receive 0000000000 0:32 1 OK 716 11/20/2006 11:58:50AM Receive 0:43 1 OK 717 11/20/2006 7:30:11PM Receive Fax 0:29 1 OK 718 11/21/2006 8:43:47AM Send 15616861032 2:06 1 OK 719 11/21/2006 2:15:54PM Receive . .4154425108 0:45 4 OK 720 11/21/2006 5:10:46PM Receive 925 7791031 5:23 19 OK 721 11/21/2006 5:50:12PM Send 9309346 27:02 20 Comm Error 390 722 11/21/2006 6:18:28PM Send 9309346 0:04 0 Stop 723 11/21/2006 6:19:49PM Send 9309346 16:23 12 OK 724 11/21/2006 - 6:43:54PM Send 15102179229 - 39:54 19. Stop 725 11/21/2006 7:24:48PM Send 15102179229 34:27 13 OK 726 11/21/2006 9:02:57PM Receive 0:38 0 No Fax Detected 7 Av .rf o cf� i Mr. Harr*1 , • 11 e • • i L.� f 0 � • • • e e (')L ! m 9 ' n � E s ucb m Q } /r • I,I li I � ; i I IN. io,,V\L-fpr . , 7 rl I C 1 ) i �1 here a�J�P-v rLCAAM �,-, ; �I ° e h I m ' I p ,_ T �,�,1 e 11j/VI _. -�- r; Ic N \ \ is 0 av Ti F') i O • sIn 1 i � O • 11� , y O i i 1 • • ' 4 a aL a 0 tAAAD � fr d � hory e • � • � �-✓rte-,i � ,-h. I � �, y. • �,. :J e • 8 � s • �'I - i � ;j �i r� ' i.t si � t I' I' - I I 'rte C^?r'. K71 IjQ AAP, 7�n nn i Jit r� IT " —STIE-PnP� -±fHPPQ l —rr—YN / lam.l-1 T . e ` l 'l . v i I ✓f �t I i ( a: y• h* ,fit • hpj I 011'''' �'� ;�_j•-' o r i 17, ! r- r I. r '} t 1. � •�• i"A ri �• A,•.. 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