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HomeMy WebLinkAboutMINUTES - 06281994 - 1.16 7 CLAIM BOARD OF SUPERVISORS OF CONTRA COSTA COUNTY, CALIFORNIA JUNE 281 1994 Claim Against the County, or District governed by) BOARD ACTION the Board of Supervisors, Routing Endorsements, ) NOTICE TO CLAIMANT and Board Action. All Section references are to The copy of this document mailed to you is your notice of California Government Codes. ) the action taken on your claim by the Board of Supervisors (Paragraph IV below), given pursuant to Government Code Amount: $104,00 Section 913 and 915.4. Please note all "Warnings". CLAIMANT: Evans — HARROW , MAY ATTORNEY: Date received ADDRESS: 122 Flame Dr. BY DELIVERY TO CLERK ON hme 8, 1994 Pacheco, CA 94553=' BY MAIL POSTMARKED: June 7, 1994 1. FROM: Clerk of the Board of Supervisors TO: County Counsel Attached is a copy of the above-noted claim. QQHH gg n DATED: BYIL DeputyLOR, Clerk l Ric DO 11. FROM: County Counsel TO: Clerk of the Board of Supervisors (f� This claim complies substantially with Sections 910 and 910.2. ( ) This claim FAILS to comply substantially with Sections 910 and 910.2, and we are so notifying claimant. The Board cannot act for 15 days (Section 910.8). ( ) Claim is not timely filed. The Clerk should return claim on ground that it was filed late and send warning of claimant's right to apply for leave to present a late claim (Section 911.3). ( ) Other: Dated: a�� 40 e d T7 BY: puty County Counsel III. FROM: Clerk of the Board TO: County Counsel (1) County Administrator (2) ( ) Claim was returned as untimely with notice to claimant (Section 911.3). IV. BOA7) This ER: By unanimous vote of the Supervisors present { Claim is rejected in full. ( • ) Other: I certify that this is a true and correct copy of the Board's Order entered in its minutes for this date. .Dated: �1 _ ZSR , g 9 PHIL BATCHELOR, Clerk, By J. , Deputy Clerk 7"_—' WARNING (Gov. code. section 913) Subject to certain exceptions, you have only six (6) months from the date this notice was personally served or deposited in the mail to fil'e a court action on this claim. See Government Code Section 945.6. 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. *For additional warning see reverse side of this notice. AFFIDAVIT OF MAILING I declare under penalty of perjury that I am now, and at all times herein mentioned, have been a citizen of the United States, over age 18; and that today I deposited in the United States Postal Service in Martinez, California, postage fully prepaid a certified copy of this Board Order and Notice to Claimant, addressed to the claimant as shown above. , Dated: _ o2T )�19 BY: PHIL BATCHELOR by ��, j� Deputy Clerk CC: County Counsel County Administrator nil w JF .t � r C 4 G Cla?_- to: BOARD OF SUPERVISORS OF CONTRA COSTA COUNTY INSTRUCTIONS TO CLAIMANT A. C1ai5.s relating to causes of action for death or for injury to person or to per- sonal property or growing crops and which accrue on or before December 31, 1987, must be presented not later than the 100th day after the accrual of the cause of action. Claims relating to causes of action for-death or for injury to person or to personal property or growing crops and which accrue on or after January 1, 1988, must be presented not later than six months after the accrual of the cause of action. Claims relating to any other cause of action must be presented ,not later than one year after the accrual of the cause of action. (Govt. Code §911.2.) B. Claims must be filed with the Clerk of the Board of Supervisors at its office in Room 1069 County Administration Building, 651 Pine Street, Martinez, CA 94553. C. If claim is against a district governed by the Board of Supervisors, rather than the County, the name of the District should be filled in. D. If the claim is against more than one public entity, separate claims must be filed against each public entity. E. Fraud. See penalty for fraudulent claims, Penal. Code Sec. 72 at the end of this form. RE: Claim By ) Reserved for Clerk's filing stamp A4 ECENED R Against the County of Contra Costa ) or District) CLERK BOARD OF SUPERVISORS Fill in name ) CONTRA COSTA CO. The undersigned claimant hereby makes claim against the County of Contra Costa or the above-named District in the sum of $ and in support of this claim represents as follows: 1. When did the damage or injury occur? (Give exact date and hour) 2. Where did the damage or injury occur? (Include city and county) fe59hMl�i_�/� � uJ��r� l r� ��tr,y 6/o U��et M/��� e--G'-C-+---- 3. How did the damage or injury occur? (Give full details; use extraper if required) .� `�. l wo-1— 4. What particular act or omission on the part of county or district officers, servants or empl6pyees caused the injury or damage?. �. wnat are the names of county or district officers, servants or employees causing the darn. ige or in jury? ------------------------ ------------------- 6. ----- -- ------ 5. What damage or injuries do you claim resulted? (Give full extent of injuries or damages claimed. Attach two estimates for auto damage. `_ 7. How was the amount claimedabove computed. (Include the estimated amount of any prospective injury or damage.) a ------------ _____ _---------_------------------- $. Names and addresses of witnesses, doctors and hospitals. ------------------------------ ------ �.�__-- ---------- 9. List the expenditures you made on account of this accident or injury: DATE ITEM AMOUNT Gov. Code Sec. 910.2 provides: "The claim must be signed by the claimant SEND NOTICES T0: - (Attorney) r or by some person- n his behalf." Name and Address of Attorney la' is S' tore Address QjIGS Telephone No. Telephone' No. N O T I C E Section 72 of the Penal Code provides: "Every person who, with intent to defraud, presents for allowance or for payment to any state board or officer, or to any county, city or district board or officer, authorized to allow or pay the same if genuine, any false or fraudulent claim, bill, account, voucher, or writing, 'is punishable either by imprisonment in the county jail for a period of not more than one year, by a fine of not exceeding one thousand ($1,000), or by both such imprisonment and fine, or by imprisonment in the state prison, by a fine of not exceeding ten thousand dollarsi.($10,000, or by both such imprisonment and fine. WWF r ^v"` ^''^/ ^.'` "^^ "^x"^" """w. ,= Z F?�-:''!S ]Ec 0 �� I IF-C."K-C-3 4960 Pacheco Blvd. Martinez, Ca. 94553 ` (510) 372-6399 Fax: (510) 372-6633 ' �� jLsaji �� ]L «e EP atmm�-q VL��1t- Z41.It. ji10 In 4#7'05 9 by KIRK JENNINGS on 05-26-94 ��d4i Fi�'40" 0-11 le"I IF-Z 011�Ql ' FLAME DR Style : Insurer : CO.CO COUNTY ' Lic. Plate: 2PKA907 Adjuster : MARTINEZ, CA 94553 Paint Codm: Appraiser: Phone: 676-5946/ Prod. Date: Claimant : 89 OLDSMOBILE CUTLASS CALAIS (FWD) Profile : CUSTOM Insurmd : V%N: Deductible-. 0.00 Po1ic:y # : Mileage: O Claim # : Options: # Labor Op Description Price Labor Paint Labor Group Price Group I ADL LABOR CLEAN ROAD TAR FROM R&L SIDES 0.00 2.01 0.0 BODY t t Judgement Item op BODY 2.0@ 52.00 104.00 Non-Taxed Labor 04.00 Labor ( 2.01 hr-s) 1O4.00 ' 02.'vo- 4=41 W,-h1=11 ~11 1� �_a :1 1 C"31 A� - 11::"11 10 ***** Parts Prices Subject to Invoice ***** AUTHORIZED AND ACCEPTED: You are hereby authorized to make the above specified repairs. I understand that payment in full will be due upon release of vehicle, including additional supplemental damage charges, and hereby grant you and/or your employees, permission to operate the car, truck, or veh�cle herein described on streets, highways, or elsewhere for the purpose of testing and/or inspection. An express lien is hereby acknowledged on the above car, truck, or vehicle to secure the amount of repairs thereto. You will not be held responsible for loss or damage to the V ehicle or articles left in vehicle in case of fire, theft, accident or any othe b OWI'll E DAT OLD PAR- S REMOVED FROM CAR WILL BE JUNKED UNLESS OTHERWISE INSTRUCTED. / EstiMate CX is a trademark of Mitchell International CLAIM BOARD OF SUPERVISORS OF CONTRA COSTA COUNTY, CALIFORNIAJUNE 28, 1994 Claim Against the County, or District governed by) BOARD ACTION the Board of Supervisors, Routing Endorsements, ) NOTICE TO CLAIMANT and Board Action. All Section references are to ) The copy of this document mailed to you is your notice of California Government Codes. ) the action taken on your claim by the Board of Supervisors (Paragraph IV below), given pursuant to Government Code Amount: jr1kn6wn Section 913 and 915®. pleasernote a iT "Warnings". CLAIMANT:CREIMAN, Patrick G. and GRFJMAN, Jane M. J u i, rl ATTORNEY: Stanley J. Bell, Esq. COUNTY COUNSEL Law Offices of Stanley J. Bell Date received MARTINEZCALIF. ADDRESS: Two Transamerica Center BY DELIVERY TO CLERK ON June 10, 1994 505 Sansome�-_St .,; 18th Floor San Francisco, Ca 94111. BY MAIL POSTMARKED: June 9, 1994 Certified Mail 1. FROM: Clerk of the Board of Supervisors TO: County Counsel Attached is a copy of the above-noted claim. pH ��qq DATED: 0 C1 i�Il Depuiy OR, Clerk Q A A A 11. FROM: County Counsel TO: Clerk of the Board of Supervisors ( ✓S This claim complies substantially with Sections 910 and 910.2. � ( ) This claim FAILS to comply substantially with Sections 910 and 910.2, and we are so notifying claimant. The Board cannot act for 15 days (Section 910.8). ( ) Claim is not timely filed. The Clerk should return claim on ground that it was filed late and send warning of claimant's right to apply for leave to present a late claim (Section 911.3). ( ) Other: 17 Dated: / y 9'y BY: Deputy County Counsel I11. FROM: Clerk of the Board TO: County Counsel (1) County A nistrator (2) ( ) Claim was returned as untimely with notice to claimant (Section 911.3). IV. BOARD ORDER: By unanimous vote of the Supervisors present (✓) This Claim is rejected in full. ( ) Other: I certify that this is a true and correct copy of the Board's Order entered in its minutes for this date. Dated: q PHIL BATCHELOR, Clerk, By �, L e ,SU1�AJ . Deputy Clerk I WARNING (Gov. code section 913) Subject to certain exceptions, you have only six (6) months from the date this notice was personally served or deposited in the mail to file a court action on this claim. See Government Code Section 945.6. 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. *For additional warnino see reverse side of this notice. AFFIDAVIT OF MAILING I declare under penalty of perjury that I am now, and at all times herein mentioned, have been a citizen of the United States, over age 18; and that today I deposited in the United States Postal Service in Martinez, California, postage fully prepaid a certified copy of this Board Order and Notice to Claimant, addressed to the claimant as shown above. /J Dated: _ �y'9l� BY: PHIL BATCHELOR by , , ( �, �',�Q� Deputy Clerk CC: County Counsel T� County Administrator r 4 N �q Ve S ON UA _ to t7 � Q U rpt UlW NN '. O 0 r O O 10 r �V cf' N N 3 rr 1 11 w �'A Udo d O W V ty{ i O o w 1 CLAIM FOR DAMAGES FOR WRONGFUL DEATH 2 TO: STATE BOARD OF CONTROL STATE OF CALIFORNIA 3 630 X' Street Sacramento, California 95814 4 DEPARTMENT OF TRANSPORTATION RECEIVED 5 STATE OF CALIFORNIA. 1120 North Street 6 Sacramento, California 94814 JUN 10 1994 7 CALIFORNIA HIGHWAY PATROL CLERK BOARD OF SUPERMSORS STATE OF CALIFORNIA CONTRA COSTA CO. 8 2555 First Avenue Sacrameto, California 95814 9 DEPARTMENT OF WATER RESOURCES 10 STATE OF CALIFORNIA a 1416 Ninth Street 11 Sacramento, California 95814 12 BOARD OF SUPERVISORS Z 8 e• COUNTY OF CONTRA COSTA Q _o 13 651 Pine Martinez, California 94553 14 opo o o DEPARTMENT OF PUBLIC WORKS 15 COUNTY OF CONTRA COSTA o d N F 255 Glacier Drive 16 Martinez, California 94553 17 PLEASE TAKE NOTICE that the undersigned hereby serves and makes demand 18 upon you for the cause and amounts set forth in the following claim: 19 Claimant's name and address: 20 All heirs of JOSHUA J. GREIMAN, deceased, including but not limited to: 21 PATRICK G. GREIMAN, Father 311 Shepard Way 22 Manteca, California 95336 23 JANE M. GREIMAN, Mother 311 Shepard Way 24 Manteca, California 95336 25 Claimant's mailing address to which notices are to be sent: 26 Stanley J. Bell, Esquire LAW OFFICES OF STANLEY J. BELL 27 Two Transamerica Center 505 Sansome St., 18th Floor 28 San Francisco, California 94111 1 Amount of Claim: 2 Special damages and expenses proximately caused by the occurrence described 3 below and general damages are in excess of the jurisdictional minimum of the Superior 4 Court. 5 Date and Place of Occurrence giving rise to the Claim asserted: 6 On or about the 23rd day of December, 1993 on J-4 (Byron Highway) at the 7 California Aqueduct in the County of Contra Costa, State of California. 8 Description of Occurrence: 9 That on or about the aforementioned date and for some time prior thereto, the a 10 above-named public entities, by and through their agents, servants and employees, a 11 negligently and carelessly controlled, supervised, designed, constructed, altered, repaired, ti o� w a o 12 owned, maintained, operated, inspected and entrusted the aforementioned roadway so as Q 13 to proximately cause and permit said roadway to be in a dangerous, defective and unsafe rA an 14 condition in that the roadway was in an icy condition and that they failed to post adequate U- 15 warning signs or any other proper control devices to warn motorists of the icy conditions; wa= H c 16 and further in that said public entities failed to adequately maintain the roadway in a safe a17 and proper condition in that they failed to deposit sufficient sand or other substances on 18 said roadway due to the icy conditions; and further in that they allowed said roadway to 19 exist and remain in a state of disrepair in that there were large depressions in said 20 roadway and further failed to provide adequate and sufficient signing to warn motorists of . 21 said depressions; that said public entities further failed to implement proper inspection 22 programs and other procedures to determine the existence of dangerous conditions on 23 said roadway, including the icy conditions and further failed to use electronic devices to 24 warn motorists of ice on the roadway or to take other measures to warn motorists of the 25 ice on the roadway; that in all respects the unsafe conditions as stated above constituted 26 a trap for vehicular traffic using said roadway; that said public entities, and each of them, 27 were further negligent and careless in that they knew, or in the exercise of ordinary care 28 2 1 should have known, of the dangerous condition of said roadway and the risk of injury 2 created by same, and failed to remedy said conditions, having a reasonable opportunity 3 to do so; that said public entities, and each of them, had actual and/or constructive 4 knowledge of the aforesaid dangerous and defective conditions of public property, as 5 aforesaid; that as a direct and legal result of the negligence and carelessness of said 6 public entities, and each of them, and as a further direct and legal result of the dangerous 7 and defective condition of public property, as aforesaid, while decedent JOSHUA J. 8 GREIMAN was driving on Byron Highway, he was caused to lose control of his vehicle, 9 causing it to veer into the southbound lanes and thereby causing it to be struck by two 10 vehicles, and further causing JOSHUA J. GREIMAN to sustain severe personal injuries a m 11 resutling in his death on or about December 23, 1993. 12 DATED: June 7, 1994 13 LAW OFFICES9F STANLEY J.'-BELL Opp ° 14 W o a 15 By: ��'"cis �� Q o H -" STANLEY JELL c '� 16 Attorneys for Claimants a 17 18 19 20 21 22 23 24 25 26 27 28 3 1 2 3 RE: Claim of Heirs of JOSHUA GREIMAN, deceased ACTION NO. 4 5 PROOF OF SERVICE BY MAIL - C.C.P. Sections 1013a. 2015.5 6 I, the undersigned, hereby declare that I am a citizen of the United States, over the 7 age of eighteen years, and not a party to the within action. I am employed by the LAW 8 OFFICES OF STANLEY J. BELL. My business address is 505 Sansome St., 18th Floor, San Francisco, California 94111. 1 served a true copy of the CLAIM FOR DAMAGES FOR 9 WRONGFUL DEATH by mail, by placing the same in an envelope, sealing, fully prepaying a 10 postage thereon and depositing said envelope in the U.S. Mail at San Francisco, California 11 on June �� , 1994. >" S 0:; 0 12 STATE BOARD OF CONTROL BOARD OF SUPERVISORS w STATE OF CALIFORNIA COUNTY OF CONTRA COSTA Z g= 13 630 "K" Street 651 Pine Sacramento, California 95814 Martinez, California 94553 w a�US 14 O N 8 a V]40ouc U15 DEPARTMENT OF TRANSPORTATION DEPARTMENT OF PUBLIC WORKS a w H STATE OF CALIFORNIA COUNTY OF CONTRA COSTA o 16 1120 North Street 255 Glacier Drive a17 Sacramento, California 94814 Martinez, California 94553 CALIFORNIA HIGHWAY PATROL 18 STATE OF CALIFORIA 2555 First Avenue 19 Sacrameto, California 95814 20 DEPARTMENT OF WATER RESOURCES STATE OF CALIFORNIA 21 1416 Ninth Street Sacramento, California 95814 22 23 1 declare under penaltyof perjury that the foregoing is true and correct. Executed 24 in San Francisco, California on June_, 1994. 25 26 Carol McMahon 27 28 4 AMENDED - CLAIM BOARD OF SUPERVISORS OF CONTRA COSTA COUNTY, CALIFORNIA JUNE 28, 1994 Claim Against the County, or District governed by) BOARD ACTION the Board of Supervisors, Routing Endorsements, ) NOTICE TO CLAIMANT and Board Action. All Section references are to ) The copy of this document mailed to you is your notice of California Government Codes. ) the action taken on your claim by the Board of Supervisors (Paragraph IV below), given. pursuant to Government Code Amount: $100;000.00 Section 913 and 915.4. Please note all "Warnings". CLAIMANT:HELDRIS, Lloyd ^;�. *�•- ATTORNEY: .�U N Date received ADDRESS: 3072 Valleywood Court BY DELIVERY TO CLERK ON JuneC8�N199k, ,,,.,,>,,:�— San Jose, CA 95148 P1IVEZ CALIF. BY MAIL POSTMARKED: June 8, 1994 Via: CAO 1. FROM: Clerk of the Board of Supervisors 'TO: ' County Counsel Attached is a copy of the above-noted claim. ppHH gg DATED: )99!JB1IL DepuLyLOR, Clerk / , A-4 1 �1 II. FROM: County Counsel TO: Clerk of the Board of Supervisors ( ) This claim complies substantially with Sections 910 and 910.2. ( VKThis claim FAILS to comply substantially with Sections 910 and 910.2, and we are so notifying claimant. The Board cannot act for 15 days (Section 910.8). ( 40Claim is not timely filed. The Clerk should return claim on ground that it was filed late and send warning of claimant's right to apply for leave to present a late claim (Section 911.3). ( ) Other: Dated: J �`" BY: ,� / Deputy County Counsel III. FROM: Clerk of the Board TO: County Counsel (1) County Administrator (2) ( ) Claim was. returned as untimely with notice to claimant (Section 911.3). IV. BOARD ORDER: By unanimous vote of the Supervisors present ( ") This Claim is rejected in full. ( ) Other: I certify that this is a true and correct copy of the Board's Order entered in its minutes for this date. Dated: PHIL BATCHELOR, Clerk, By ��, ( a , pDe, a� , Deputy Clerk WARNING (Gov. code section 913) Subject to certain exceptions, you have only six (6) months from the date this notice was personally served or deposited in the mail to file a court action on this claim. See Government Code Section 945.6. 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. *For additional warnina See reverse side of this notice. AFFIDAVIT OF MAILING I declare under penalty of perjury that I am now, and at all times herein mentioned, have been a citizen of the United States, over age 18; and that today I deposited in the United States Postal Service in Martinez, California, postage fully prepaid a certified copy of this Board Order and Notice to Claimant, addressed to the claimant as shown above. Dated: �,a,,,Q ag /9gj/ - BY: PHIL BATCHELOR by p�, Deputy Clerk CC: County Counsel County Administrator 1�• OFFICE OF COUNTY COUNSEL DEPUTIES: CONTRA COSTA COUNTY PHILLIP S. ALTHOFF , iSHARON L. ANDERSON BRANDON D. BAUM COUNTY ADMINISTRATION BUILDING ANDREA W. CASSIDY VICKIE L. DAWES P.O. BOX 69 MARKE S. ESTIS VICTOR J. WESTMAN MARTINEZ, CALIFORNIA MICHAEL D. FARR COUNTY COUNSEL 94553-0116 LILLIAN T. FUJII DENNIS C. GRAVES SILVANO B. MARCHESI TELEPHONE (510) 646-2074 GREGORY C.. HARVEY ARTHUR W. WALENTA, JR. FAX (510) 646-1078 KEVIN T. KERR ASSISTANTS EDWARD V. LANE, JR. MARY ANN M. MASON PAUL R. MUNIZ June 9 , 1994 VALERIE J. RANCHE DAVID F. SCHMIDT DIANA J. SILVER VICTORIA T. WILLIAMS NOTICE OF INSUFFICIENCY AND OR NON-ACCEPTANCE OF CLAIM TO: Lloyd Heldris 3072 Valleywood Court San Jose, CA 95148 RE: CLAIM OF: June 8, 1994 Please Take Notice as Follows : The claim you presented against the County of Contra Costa or District governed by the Board of Supervisors fails to comply substantially with the requirements of California Government Code Section 910 and 910 .2 , or is otherwise insufficient for the reasons checked below: [] 1 . The claim fails to state the name and post office address of the claimant. [] 2 . The claim fails to state the post office address to which the person presenting the claim desires notices to be sent. [X] 3 . The claim fails to state the date (not merely the month) , place or other circumstances of the occurrence or transaction which gave rise to the claim asserted. [] 4 . The claim fails to state the name (s) of the public employee (s) causing the injury, damage, or loss , if known. [] 5. The claim fails to state whether the amount claimed exceeds ten thousand dollars ($10, 000) . If the claim totals less than ten thousand dollars ($10, 000) , the claim fails to state the V 1 amount claimed as of the date of presentation, the estimated amount of any prospective injury, damage or loss so far as known, or the basis of computation of the amount claimed. If the amount claimed exceeds ten thousand dollars ($10, 000) , the claim fails to state whether jurisdiction over the claim would rest in municipal or superior court. [] 6 . The claim is not signed by the claimant or by some person on is behalf . [X] 7 . Other: Please note: Your Claim of June 8, 1994 is substantially different than your earlier Claim of May 4 , 1994 . It appears to be a new and different Claim in that it names different individuals and cites a different nucleus of operative facts . Accordingly, it is not an amendment of your earlier claim and will not be considered as such. VICTOR J. WESTMAN, County Counsel r01 By: bu," Deputy County Counsel CERTIFICATE OF SERVICE BY MAIL (C.C.P. §§ 1012, 1013a, 2015.5; Evidence Code §§ 641, 664) I declare that my business address is the County Counsel's Office of Contra Costa County, 651 Pine Street, Martinez, California 94553; I am a citizen of the United States, over 18 years of age, employed in Contra Costa County, and not a party to this action. I served a true copy of this Notice of Insufficiency and/or Non-acceptance of Claim by placing it in an envelope addressed as shown above, sealed and postage fully prepaid thereon, and thereafter was, deposited this day in the U.S. Mail at Martinez, California. I certify under penalty of perjury that the foregoing is true and correct. Dated: June 9, 1994 at Martinez, California. f CC: Clerk of the Board of Supervisors (original) Risk Management (NOTICE OF INSUFFICIENCY OF CLAIM: GOVT. CODE §§ 910, 910.2, 920.4, 910.8) d r- c c �F(ja q CONTRA COSTA COUNTY RECEIVED MAY I ? IQQ4 OFFICE O COUNTY Abi iil lSiRATOR 'Clair. to: BOARD OF SUPERVISORS OF CONTRA COSTA COUNTY INSTRUCTIONS TO CLAIMANT A. Claims relating to causes of action for death or for injury to person or to per- sonal property or growing crops, and which accrue on or before December 31, 1987, must be presented not later than the 100th day after the accrual of the cause of action. Claims relating to causes of action for-death or for injury to person or to personal property or growing crops and which accrue on or after January 1, 1988, must be presented not later than six months after the accrual of the cause of action. Claims relating to any other cause of action must be presented not later than one year after the accrual of the cause of action. (Govt. Code 5911.2.) B. Claims must be filed with the Clerk of the Board of Supervisors at its office in Room 106, County Administration Building, 651 Pine Street, Martinez, CA 94553• C. If claim is against a district governed by the Board of Supervisors, rather than the County, the name of the District should be filled in. D. If the claim is against more than one public entity, separate claims must be filed against each. public entity. E. Fraud. See penalty for fraudulent claims, Penal. Code Sec. 72 at the end of this r. form. ee � eeeee � * * ee � * * * eea * * s • e � * ee � � * eee * * e * eee * . . RE: Claim By ) Reserved for Clerk's filing stamp 4 RECEIVED 36 �„2 i¢LLEY�DD� Or ,5" D . Against the County of Contra Costa ) JUN - 8 1994 or ) District) CLER�p�n cosTA CERS 0- Fill in name ) , � The undersigned claimant hereby makes claim against the County of Contra Costa or the above-named District in the sum of $ /�B,�9�9®� _ and in support of this claim represents as follows: _T 1. When did the damage or injury occur? (Give exact date and hour) ---- 2. Where did the damage or injury occur? (Include city and county) 3. How did the damage or injury occur? (Give hall details; use extra paper if required) / 4. What particular act or omission on the part of county or district officers, se^yams,o ,emRlayee caused. the injuryor damage? V tI Wo4 �® fit' Z�/r&-k�`7r� /,pro , g: n P0���� �r�ae-6 7,,4r � oY� 1C1,Pe4, f , yMe i g �. wnat are the names of county or.district officers, servants or employees causing the damage or injury ve , wr wt'g What daage�or in�urde"s'` do'you cl"a"im resulted? (Give full extent of injuries or - damages r "damages claimed. Attach two estimates for. auto.damage.. �� ,�►G. `J� (yam h Cc16 6164) � /D a d T/O�l;¢L ,UISrIQC �S SxR 6�'��S G.S'C �Lll ��" ...rMyrMN�M�M�Mr�rrrMMN e �•. � �i NMr1YrN� 7• How was the amount 1. claimed above computed? (Include the estima ed amount of.any prospective injury_or' damage:) I-A t, rwsrrrrr..rrw� rrwrNrrrrrrrr w.r..rr�.wrrrrNrwrrr $.. Names and 4ddresse34 of,.witnesses„;doctors and,,hospitals.. ' /�� e©c�dz.2- ��`�K� U�G,���/S �•fy/c Cid�� Y I��C� J rrrr..rrrrr--------r—rr�rrN�r� �..M��w��rrrM��rMMNM 9. List the expenditures you made on account of this accident or injury: DATE ITEM AMOUNT J) V Gov. Code Sec. 910.2 provides: s � The claim must be signed by the claimant SEND NOTICEST0:__1,___(A ttorne -)� ti' �`' -_ 'I or by some person on his behalf." Name and Address of Attorney Claimant's Signature L1200,0 6C)A7- Address y`F.}.' YJ. '3, •n•i'r f A 2 •p}'1 It'."lV bii . tUS .a'1 T Fes+ }y/V V V✓4� // �`L�/ /I 4 T' ..Telephone:No: �. A � �.,<. Telephone`No. ¢. a , * s * * * * * * * * * .�► * * *. V V W W * * e NOTICE ... Section 72 of the Penal Code provides: "Every person who, with `intent'to defraud, presents for allowance or for payment to any state.. boardor officer, or to 'any county, city or district board or officer, authorized .to,'Allow-or...pay- the same if genuine, any false 'or fraudulent- claim,, raudulentclaim,, bill, account,,, voucher,'.or. writings, is. punishable either by imprisonment in the county Jail 'tor a period of not ;more than one year, 'by a. fine -of not exceeding one thousand ($1;000'), or by, both, such imprisonment and fine, or by imprisonment in the state prison, by a fine of not exceeding ten thousand dollars ($10,000, or by both. such imprisonment and fine. May 10 , 1994 RECE1!/ED Mr. Phillip Batchelor JUN - 8 1994 Clerk of the Board and County Administrator [CLERKBOARD OF�I�pERVISORS 851 Pine Street CONTRIA COSTA CO. Martinez , CA - 94553 SUBJECT: Claim for Damages and Mrs . Gladys Heldris Dear Mr. Batchelor: I am returning the claim form to you as is because the claim is for a Continuing Violation. Because the the violation is an on-going act the California Supreme Court has ruled that the statue of limitations tolls and there is also an estoppel issue here that would also defeat the statue of limitation. I do not have access to the the Supreme Court decision inorder to cite the actual case, but please have Mr. Westman, and the two attorney( ? ) (Farr and Estis ) that work for him check on this . Maybe you should get out- side counsel like Kathleen Henry, if anyone in the county counsel ' s office knew how to practice law and read statues there would be no need to have filed this claim for damages. If they are unable to understand the law regarding a continuing violation, the tolling of the statue of limitation, or estoppel please inform me and I will send you the legal information. I do believe that the claim is timely and that the county counsel has made another mistake regarding the law, this reflects upon your leadership as an employer, are these people really the best that Contra Costa County can afford or recruit? I am also including another claim for damages against Mr. Estis and Mr. Finucane for defamation of my person in a declaration last December 1993 . These gentlemen asserted that I was doing irreparable harm to my mother and had issued a restraining order against me seeing my mother, in violation of her civil rights and in violation of my civil rights . I have been arrested because of this , and it wasn't even a lawful restraining order see CCP 527 . My mother was unlawfully placed into the conservatorship, this has never been corrected and every time the county exercises control of the illegal conservatorship, if renews the illegal act. As conservator the county owes me about $12 ,000 for the house notes and other bills of my mother. I am also including a copy of a complaint, made to District Attorney Gary Yancey which enumerates the violated penal codes which Ms . Anne Hause violated when she invaded my mother's privacy by reading her medical records. In the words of friends who work in the Santa Clara and San Mateo Public Guardian' s office, Why would the Contra .Costa Public Guardian even want another case load to manage? Lastly, my mother is not the only person this has happened to in Contra Costa County. I told this to Mr. Westman and Yancey when I wrote to them. Ms. Elizabeth Nesbit might in the near future have a class action lawsuit filed against her. She is taking on the characteristics of a "typhoid mary" or death angel . I again respectfully submit this claim for damages which was return to me based upon the preception that the statue of limitations tolls , that there is a continuing violation of law, and that estoppel prevents the statue of limitations from being used as a defense. Sincer ly, i L oyd eldris 3072 alleywood Court San Jose, CA - 95145 •Clair. to: BOARD OF SUPERVISORS OF CONTRA COSTA COUN'T'Y INSTRUCTIONS TO CLAIMANT A. Claims relating to causes of action for death or for injury to person or to per- sonal property or growing crops and which accrue on or before December 31, 1987, must be presented not later than the 100th day after the accrual of the cause of action. Claims relating to causes of action for-death or for injury to person or to personal property or growing crops and which accrue on or after January 1, 1988, must be presented not later than six months after the accrual of the cause of action. Claims relating to any other cause of action must be presented not later than one year after the accrual of the cause of action. (Govt. Code 5911.2.) B. Claims must be filed with the Clerk of the Board of Supervisors at its office in Room 106, County Administration Building, 651 Pine Street, Martinez, CA 94553. C. If claim is against a district governed by the Board of Supervisors, rather than the County, the name of the District should be filled in. D. If the claim is against more than one public entity, separate claims must be filed against each` public entity. E. Fraud. See penalty"for fraudulent claims, Penal. Code Sec. 72 at the end of this form RE: Claim By ) Reserved for Clerk's filing stamp L14 Lp Z&10k1_5 R�C E IVED kcwpao Against the County o Contra Costa ) Phi1994 or ) t CcttL BOARD OF SUPERVISORS District) CQNTF- %COSTA Co. Fill in name The undersigned claimant hereby makes claim against the County of Contra Costa or the above-named District in the sum of $ r, c6wj o&c9, ef and in support, of , . this claim represents as follows: 1. When did the damage or injury occur? (Give exact date and hour) R41 Se 2 1,05 P c r*c- -, i 3 7o ed rri,c9Cr- B1,uD - R 2. Where did the A'�a or tnj=. occur? (include city and county) M___N__NN_�__NNNNN_N NNM_ YN___N___-N_N___ 3. How did the damage or injury occur? (Give full details; use extra paper if required)-,4,L 11 R r rig 61VF PpQ��G'R fuE' /�i�L 7'rE,rJr��t1 ®t= Gland- ----------- kil.94.dr1 64 4. What particular act or omission on the part of county or district officers, servants or employees caused the injury or damage? R �iuoJ�� ec�+��u,�,�r FRm �o�P�r�� �L�E�i�c��, W#<<C UA4S r&4 404b geri,dCrrR�R-r�d� . r 5. wnat are the names of county or district officers, servants or employees causing the darnage or injury? �a�,v� �c�Ssc-� �rLM�4 �J�R�z� /l�lLf/EA� Fi��R� l//clone G�E"S•T.+%M��lI w.r. ; 5. What damage or injuries do you claim resulted? (Give full extent of injuries or damages claimed. Attach two estimates for auto damage. 7. How was the amount claimed above computed? (Include the estimated amount of any prospectiven jut^y...9r damage...) P-4.500 e)*A" A)t7i 'L/G C-"-VCC �.v TB 00 $. Names and addresses of witnesses, doctors and hospitals. - -------------------- _------r-- 9. List the expenditures you made on account of this accident or injury: DATE ITEM AMOUNT Gov. Code Sec. 910:2 provides: "The claim must be signed by the claimant SEND NOTICES TO: (Attorney)-1,0-64or by some person on his behalf." Name and Address of Attorney_1��6=hcr 2 n9i ZS a . k L0Y0 1dG cl R t-5 Cl manus signator �.b r-licr 1=e oe !� std sus tAddress Telephone No. Y,0 Telephone No. IV � N-0 T-1 C E •��.•;;.. Section 72 of the .Penal:Code provides: _ "Every person who, with intent to defraud, presents for allowance or for payment to any state board or officer, or to any county, city or district board or officer, authorized to •allow or pay the same if genuine, any false or fraudulent claim, bill, account, voucher, or writing, is punishable either by imprisonment in the county jail for a period of not more than one year, by a fine of not exceeding one thousand ($1,000), or by both such imprisonment and fine, or by imprisonment in the state prison, by a fine of not exceeding ten thousand dollars ($10,000, or by both such imprisonment and fine. r ,F r —6- 4 al 3 a F t 1 5 4 t ''xS s ' k�,,t''+ i'�t'.+ N�� x K n.-����?YE{�4r��r ��.�t�<'` � '#'� c*,Ll+r .✓a 1'G..a ta't _' "t r .f ... ., ' +�/t�` ' a�.�• .. .. �b:i!hsl ,i }.: L'i, ,�+,: tZx 7', .. �z`r{..., .. .. �., t ex•. Mr_ Ph.i.1 i,p Batche,lor> Da ids YanceyE r... , V,; Coun#y Administrator" district..At`t' rney Pop "" t "Costa Co.uin�ty r ' Contra` Costa County" :. 651 Pine Street-, 11th Floor 725 Court :Street ((µµMur t i nez, CA 94553 .. Mar t ne'z, *CA 94553 y1"'rv" +4tp E�'yft_�4 *� '7�.A 'Yt 'f iRv'ik { 'E •w! 1h .r „' 1 h .. .:''its i'A ... .^i. r 1 .' Lv�+'iik,P S Dear Sir: , This letter is a ' letter of complaint and a request that you take immediate' action and investigate, _the. cor.ruption, impropriety, civil rights abuse, human rights abuse, potentially murders and developing scandal in the Office . of Public Guardian and County Counsel . This complaint involves the abuse, by the Public Guardian and County Counsel : Offices, of my mother Mrs. Gladys Heldris, 4644 Overend Avenue, Richmond, CA 94804. The Public Guardian has a bogus Temporary Conservatorship of my mother Mrs. Heldris. This was obtained on November 24, 1992 after Kaiser-Permanente 31 s Dr. Ida Beath signed a physcians statement that my mother was not able to take care of her self because of dementia. This was a LIE, On October 89 1992 a diagnosis of Normal Pressure Hydrocephalus had been confirmed by Doctors John Friedberg and Robert Fink (a neurologist and ,neurosurgeon-paid for by Kaiser) . Dr. Beath and the Kaiser Hospital staff was informed of this by the doctors. Ab I .informed Ms. Ann Hause and my brother informed Ms. Velma Berry of this approximately four weeks before any notice was given for a conservatorship haring. Again, four weeks before .the. conservatorship he..aring: which granted TEMPORARY Conservator:ship. to the Public. Guardian and after the doctors examined my mother, Ms. Hawse called my mother' home 'demandingjto talk with sister- Who lives w'ath my mother x 8 y way.Si :t*.•i � v ,DC7 d � tG r '� ';r She spoke with my ' 12,. year ,old yniece who told her my sister (her mother) was still at work and would not be "66me until around 5:30 _pm. Ms: ""HA"e• did.µnot 'Ibe`f6ve-my n "ece'.i `told` her= 'that i'f my'-si's`ter, did not call fier-""before 51"' w. y ' e` puxt-out on.-the. street ( ie she was go•i.ng to sell my mother'..s• and ns ste.ros'lhouse) . This occurred abqut 10 days before: a notice of x r cc)"hser.vatorsfiTIO was supposedTy° sent"- ,memb'er of my mother's- fami"ly:: t My sister' dad'' call Ms' H74 s' Lbefore 5 pm,h"and 'Ms. Rause explained that 'the Pubth r,c Guard"i an was gaatng ,to serize contro"1 of Amy mother's property but did not ex lain wh_ p•' y My 5aster explain that "I-'had powers of'.at-Corney for both'; . lealah and finance and that ,tie should; talk with me (Lloyd Heldr"is-my. mothers d'1'd"est son) ti. . t.•, Ai Hause then called me, we spoke and I did inform Ms. Rause that I do have . powers of attorneys for my mother's health and finance. Ms. Rause said that because she had been hospitalized at Kaiser for so long, there was nothing else Kaiser could do for her regarding my mother dementia. I then informed Ms. Hause that my mother was not there merely for dementia, she was admitted because of a stroke and DiCubidis sores. The sores had been on her body since she was admitted and even today (May 22, 1993) the one sore has not `eves healed in almost P8' months time frame. I also ' informed Ms'.'. Hause of the diagnosis recently completed by Dr. Friedberg, telling her that Dr. Friedberg .saysthat my mother does not have dementia, but she does have Normal Pressure Hydrucepha-lus. Cwat.er, on, :the, bra-i;,n,) which is -curable. ` Dr. Friedberg toTd 'me and I related this to Ms. Hause that by having a shunt surgical procedure my mother would be able to, walk,. .talk coherently, and feed herself,.; The pr°es.sure was in the area .'that Ic,ont.rols my `mother's motor skills. That the. previous three. years-„otf,,symp.toms, of. Alzheime.rs Disease., was actually symptoms. of the Normal Pressure- Hydrocephalus. - I reiterate., 1.3 related all of this information including the information About, .the powers .of attorney o. Ms. Hause .-14 ,day_s _beforee ..a. eonsrvatorship hearing was even.,..r..equested ,b,y.. the Pub;li.c Guardian. My brother,: Robert He>hdris, al+so itnformed .",Ms. :,Ve!lima berry of th,;is same information, prior to n these, conservattarshxip hear,ingbe�ing scheduled , t� } w` -'+� s"g" '” ..p i.. ' - �.`} h'�+"''': . °''After'Ms Hause c'a'l�l`ed`' me` demanded that h move my mother from Kaiser Hospital F Ri`thmond, that she had been there to long and she was not going to recovers I angrily asked Ms. Hause why she said that she was not going to recover and what business of hers was it anyway. (My mother has been a member of Kaiser Permanente Health Plan for 40+ years) . Ms. Hause replied that Kaiser had called her office to take charge of my mother. I thought I had set her straight because she said that she would check with Kaiser again, especially about the powers of attorney I possess for my mother. A0:4,in, Ms. Velma Berry also knew of the powers of attorney that I have. Regarding the Doctors Friedberg and Fink, both have said that my mother DOES. : NOT HAVE DEMENTIA, these two doctors were paid by Kaiser Plan and by me in part. They were second and third opinions that I had been requesting for five months prior to their examinations at different times. Dr. Friedberg met with me and my aunt, sister, and brother at different times. He said that he was prepared and set to explain a diagnosis of dementia but after checking two sets of MRI's and two sets of CT-scans he was positive that it was Hydrocephalus that was immobilizing my mother. He even went so far as to say that it was printed on the MRI charts and reports. Please excuse the length of this letter, I am trying to be brief and net but the details are complex. �•,f,�t,,ti.ny � __.,,: r .> t,.. .`+-. t _ �t^'�„`�erC ,y''i�>♦ t )• ... ... t ,. .. `. . . .-. rJ- In, our: .telephone. conversation's Ms... Hause: wanted. to. know when I -last saw my mdther -I' to-ld her°`that' ',I''had'1,'seen,`her the previous day. Since being. hospitalized in January 092, no less than two family members have seen my mother everyday si.nce. bei,ng ho,,sp,italized. My mother has over, 140+ .blood line relat.i.ves within, fifteen,minutes driving of her home. I live in San Jose but see ,my mother four to five times per week since. she was hospitalized. In closing .the telephone call Ms. Hause said that ' 'what I told' her was not what she- had been told by Gayle of Kaiser Hospital ,. j Rakchmond acid she wasgoang` -ao ca41;1 Gayle,-again .to .get matter cleared` up. y," d"t�,j� r y y,1�t.+'E`' 's.Y+YI., i t 2'`� f ',.:,1 y� :.v p p �5f., i a tt as, •-„ .x t 4 t t 3i � y� y r �' f r r A W n+ , y r t f y t ,:•r j �*" P t4y� k a App,ro;x,amate)Iy four_ weeksr la�ter$ � I andt MY4 fama hy`x learned that the :PubaVac { .� `6"uardian had abt°ani{ned 'a Temporary Conservatorship and signed. papers to Move.,my mother from K°amiser:' to Creeks;i.de'.Convalescence.,Hospiktal:.:,: HOW DJYD-. TiHDhS HAPPEN? KWh"ens If askeda:Ann ;Hause :wh,y.:..no fam'"ily� was: i.nformeda she said r .th'at she :perkso,na�l ly sant aR,hea A,qg nostric,e. to me, my.;bro>ther, , my;,sasterP, :and -� done ;af my, aun3t's�= tmymolh'er�',s 1yaungeste s'itts:ter, )- at, our ,home ,addresses;. q pt NO ONE received the notices and no one was present at the conservatorship ' hearing to protest or to contest the hearing, not even mY mother. I appears that just the Public Guardians Kaisers and the Deputy County Counsel were the only ones represented. THISWAS A VIOLATION OF THE AMERICANS WITH DISABILITIES_ ACT. Because Ms. Hause and Harry knew of the powers of attorney I have, it also was a violation of Federal and State Law, because some one presumably lied in court about my mother's health and care, someone in addition to Dr. Beath. None of my mother's family member received notice of the hearing either. To .keep track of the improprieties, Ms. Hause and Ms. Berry knew of the Powers of Attorneys, Dr. Beath and eight people on Kaiser's staff including the Administrator Ms. Sheila Manderson and an,Oakland Supervisor Ms. Carol Osrow knew of the Powers of Attorney as early' as March of 1992. Every one Who appeared at the initial Conservatorship Hearing knew that I had Powers of Attorney for my mother and that she was being taken care ofs seen by family. members and knew of the family concern for her health. My conclusion is that the notices for the hearing were never sent out by Ms. Hause and that she and the Public Guardian's office are conspiring with Kaiser Permanente Hospital far, p.ay o,;r some type cf ;.incen,,t=ive. t,,, Sxince •the TEMPORARY Conservatorshap An ,November 1992, I have not been ,able tog ',. . z * �5 'tg•r r r.>.es' ... .,. E - pg ANY hype of� medlac'al:j treatment for my, mother. The PubLic Guardian has pt_ ace .:my 'mother under she care :of Dr Heath" 'at the nursing home` and refuses to a'1'lo.w any other doctor .to see her, because the Temporary- Conservatorshf�ip # •;; suspends' 'my exysltFng tPowers of Atttorney. I have reviewed the California' — Cf411 and Probate- Codes and the Probate Codes instructs that a Temporary �u„ Conservaltee mustti,be assessed w> th,a;n 9t? daysoFf:=the. date of execut i'on. ` =Tih�its h snot been 1d'oine. , 'fTh'ere'.1;h`as ;b.e`eng no" phys'=i'cal` or mental work-Up on my mother w y a;n the more tF at. b..manths -. ,180, days.) that .my mother has been a Temporary Consev ratee' of the Publ+;ic Guardian;. . This assAHUSE., This is abusing her-, r1 ?ght: for in'ea lt,fn s ,her c ivi l `r itgh'titxs` .and ,"i- iss:.a lso;a v ioa=at i on of:-the Amer:acans.: withDi;sabi�l sties ;ActIt alt times .wonder ;;if they are just wait{ ;ng for_ my mother to ;dies so "that -these a,sues watll become-:,moo•t •, r �I'The Deputy "County Counsels Mr. Farr carries some responsibity or colusion in this also. He has a duty to know the probate laws. Mr. Farrs., Esq. also completed the Court Order for Temporary Conservatorship incorrectlye because, _. "{ `` the Court Order does not carry an expiration date. It is MANDATORY far the Temporary Conservatorship to have and''EXP'IRATION DATE: ;' This expiration date is usually within the 90 days allowing for the medical and physical work-up assessment. I have consulted with the Public Guardian's office in Santa Clara and San Mateo Counties, all of the people with whom I talked would prefer to remain anonymous, but all three people believe there are some irregularities being perpetrated to my mothers detriment. The first issue is why would the Public Guardian's Office even want to get involved when they knew of the Powers of Attorney and .because of the current county budget crisis. Another issue is why when my mother has so many relatives would the PG's office want to get involved for Kaiser's benefit, and felt that Kaiser was large enough to take care of itself with the staff of ,lawyers they have. `,The. Pub;l'ic .Guar- A-an is:current trying to' gain control of my mother's monthly pension and my mother's house which is owned jointly with my sister. The Pulbic Guardians office is violating the law by not allowing By motheL' to see another doctor and are spernding all of its time part.ing out my mothers estates, as _ if she.: were -dead for the fees it expects to c411�ct. I lame 'b'een inanag3iing`'`my.mother's- funds' since, the. death of my fathers w1th" the full knowledge and approval of my mother's natural childronp .my sister., and brother and the full knowlege of my four uncles and three aunts, my mqthers. br.oahers..and sisters:. Since the. Pubs is Guardian has confiscated My mother's and my joint bank account at Bank of America, there is no money ,.to pay her mortgage or other debts. The debt with Kaiser is disputed because of my mother's 41 years of membership and Kaiser collects it membership fee each month from the source of my mother's annuity. It is even more disputed because of the Di Cubidus sores that have not healed, and my mother's inability to walk, talk, or feed herself even if she does have dementia, which she does not. Just what was Kaiser spending this money on? I cannot get any Kaiser people to explain this. This is consumer fraud. I am charging that Kaiser is using the Public Guardians Office and Mss. Hause an berry as their agents in attempting to collect the bills of a creditor. According to Probate Law, this is also ILLEGAL, creditors cannot compel a. Probate or Conservatorship hearing. It is also immoral considering my mother's health, these people are acting negligently, recklessly, and : endangering my mother's life. I. reiterate that my mother has not received arly independent medical attention since October 1992. To summarize, what I want to come as a result of this letter (sorry for the length)? I would like to have my mother examined by Dr. Brian Richardson a neurologist on staff at UC Davis-Alta Bates Hospital and rexamined by Dr. John Friedberg., both physcians are non-Kaiser Doctors. I would also like the examinations and tests to be independent of each other. My mother ,and Dr. Richardson- are Affrican-Amer,i.cans,, I would, also, like the issue of the `Coiiservatorshi'p dropped immediately by the Public Guardian and the County Counsel because they have had six months and not done anything except screw up my mother's and my budgets. Even though the PG's office has confiscated my mothers funds, I have continued to pay all of her bills. I would like all of the money received by " the PG's office returned. I would like to have the Public Guardian's Office investigated for competency and graft and the County Counsel Office schooled .,on the Probate and Americans with Disabi,lity;,:_. Ac.t :laws. „r'Nar tf.Y ,;,; ;•,mita' as=!':�r�/'��`T9��z�'�'���'��4""�i�t`�rr.� r�F•.r,� ���3"S�,:n ty"f� i t xF .:.� t ,.�wrR�.� ry'�`�,+i yrs Y r'.; f ♦{ �,y%+�d / �i ��x��3 av' . p f '4. 3 =l t 3.: :;a > � Y.= .r.. +. Y�v L.- Ito^,-:'��� a. ..,e.d l - i � .. .. r. .. • .. .. .' .,h(4`.x't.' -;' Lastly, I would like to hear from you, in writing at my address, to determine'` if you will take any action on any of the issues I have written about. I apologize for the length of this letter and also apologize for any grammars. , spelling, punctation, or syntax errors I have made. I am also a tax paying property owner in Contra Costa County. Sincerely A , 3072 Valleywood Court San Jose, -CA — 95'148 in u. t�k ,�. "`zm^k.fi`.°`�,'s rlT`5.ir ,i" rY .ate �-•`� y r:.'�+• b�R Y .E Y ;. i ” a •"r �. 'l,� x 's= '<g` "i ti.+' �+ �( ! K - ,z r a r �Y t picc,.a',Sup�er-V so r,,o, owes, � ti 4 qt r. Y - ;. v t M {r .�yy 3n F- ♦ K < Y .y kz d'-.. Ik 'r f v1. � a •� F..` �, ,i. e r f'#�����Ef ,� *�yz`�� �a 7:.r'k l7 .a:, 1•FZ,:p ,_ �. ° K' " � y - •t+k y' �' 18q" h ,a:•; , aid � ��` "°,vt-e -fir v�+'t eu+ rH ;: �� 7 •�.`si rra.:'t S 4'� r �`5' `�' i�$x,r:E, r + 4 �`z` � ¢asi� Y�`+ y�'„�P gym-� �- ��`Y� +"*>a�.J � `• � � Y c;� �t,Y .t -. vv� "§ '� �',� �' �x } r .w♦ P��d�` s �t,,���.*p^}y��.f^y;�^c Ott��b{.x� �.>` v;,kr ,� � x Y _s t it ,r.4. F-.- •'S� � �,i�;.��pi s��t.'y�`'Faxi�� �s,�,x�e"�E°^.ter,''�'*�'hknK4p"',{I.� .,�"4'�r,'�?4 t+ u� i':t�S�t'..,��;:. ..�i #.�; '+♦^ 'ti:.a .. ✓.::, �..; .., - ':"�. 4 :t`'.'a''aF .-?4". . . .... s. :G �,,u,. .. . 3rd' i�` 4'-'' f���e 2`_.' >i "'t,�'� p•± ii*trj'� T" }t v i '..nas7 i is -r�.� e` k G; t €♦M!17�` v1 xn t � ✓ t ° � r ��„ t � a � � � ee , �, 44 _ CLAIM BOARD OF SUPERVISORS OF CONTRA COSTA COUNTY, CALIFORNIA JUNE 28, 1994 Claim Against the County, or District governed by) BOARD ACTION the Board of Supervisors, Routing Endorsements, ) NOTICE TO CLAIMANT and Board Action. All Section references are to ) The copy of this document mailed to you is your notice of California Government Codes. ) the action taken on your claim by the Board of Supervisors (Paragraph IV below), given pursuant to Government Code Amount: Ur1known Section 913 and 915.4. Please rnote all, " arn,i,ngs". CLAIMANT: pETTINGER, Frank S'C JUN 9 1 �4 ATTORNEY: Date received COUNTY COUNSEL MARTINEZ CALIF. ADDRESS: 3518 Shadow Creek Dr. BY DELIVERY TO CLERK ON June 7, 1994 Danville, CA 94506 BY MAIL POSTMARKED: via: Comity Counsel I. FROM: Clerk of the Board of Supervisors TO: County Counsel Attached is a copy of the above-noted claim. p IL BATCHELOR, Clerk p DATED:_ _ 19 B�: Deputy 1I. FROM: County Counsel TO: Clerk of the Board of Supervisors (vr This claim complies substantially with Sections 910 and 910.2. ( ) This claim FAILS to comply substantially with Sections 910 and 910.2, and we are so notifying claimant. The Board cannot act for 15 days (Section 910.8). ( ) Claim is not timely filed. The Clerk should return claim on ground that it was filed late and send warning of claimant's right to apply for leave to present a late claim (Section 911.3). ( ) Other: Dated: rj BY:44� Deputy County Counsel II1. FROM: Clerk of the Board TO: County Counsel (1) County Administrator (2) ( ) Claim was returned as untimely with notice to claimant (Section 911.3). IV. BOARDD ORDER: By unanimous vote of the Supervisors present (✓ ) This Claim is rejected in full. ( ) Other: I certify that this is a true and correct copy of the Board's Order entered in its minutes for this date. Dated: PHIL BATCHELOR, Clerk, By, ��l Deputy Clerk WARNING (Gov, code section 913) Subject to certain exceptions, you have only six (6) months from the date this notice was personally served or deposited in the mail to file a court action on this claim. See Government Code Section 945.6. 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. *For additional warning see reverse side of this notice. AFFIDAVIT OF MAILING I declare under penalty of perjury that I am now, and at all times herein mentioned, have been a citizen of the United States, over age 18; and that today I deposited in the United States Postal Service in Martinez, California, postage fully prepaid a certified copy of this Board Order and Notice to Claimant, addressed to the claimant as shown above. Dated: , g0, BY: PHIL BATCHELOR by_,l, (2 � Deputy Clerk CC: County Counsel County Administrator Cla to: BOARD OF SUPERVISORS OF CONTRA COSTA COUNTY INSTRUCTIONS TO CLAIMANT A. Clai.;s relating to causes of action for death or for injury to person or to per- sonal property or growing crops and which accrue on or before December 31, 1987, must be presented not later than the 100th day after the accrual of the cause of action. Claims relating to causes of action for.death or for injury to person or to personal property or growing crops and which accrue on or after January 1, 1988, must be presented not later than six months after the accrual of the cause of action. Claims relating to any other cause of action must be presented not later than one year after the accrual of the cause of action. (Govt. Code §911.2.) B. Claims must be filed with the Clerk of the Board of Supervisors at its office in Room 106, County Administration Building, 651 Pine Street, Martinez, CA 94553. C. If claim is against a district governed by the Board of Supervisors, rather than the County, the name of the District should be filled in. D. If the claim is against more than one public ,entity, separate claims must be filed against each public entity. E. Fraud. See penalty for fraudulent claims, Penal. Code Sec. 72 at the end of this form RE: Claim By ) Reserved for Clerk's filing stamp -49 A fv dc. pe T 1N G ) RECEIVED Against the County of Contra Costa ) JO - 7 1994 or ) CLERK BOARD OF SUPERVISORS District) CONTRA COSTA CO. Fill in name ) J The undersigned claimant hereby makes claim-against the County of Contra Costa or the above-named District in the sum of,$ and in support of this claim represents as follows:­--f- 1. ollows: --f1. When did the damage­or injury occur? (Give exact date-and hour) �5 lq,� 1 2. Where did the damage or injury occur? (Include city wand county) 3. How did the damage or &jury occur? (Give full details; use extra paper if required) 0@, ..C" 4. What particular act or omission on the part of county or district officers, servants or employees caused the injury or damage? , (tA 1, �OVC�) i �. wnat are the nates of county or district officers, servants or employees causing the damage or injury? ------------------------------------------------------------------------------------ 5. What damage or injuries do you claim resulted? (Give full extent of injuries or damages claimed. Attach two estimates for auto damage. 7. How was the amount claimed above computed? (Include the estimated amount of any prospective injury or damage.) C h�a7b c ------------------------- ------ ------ - ------ ------------ $. Names and addresses of witnesses, doctors and hospitals. - ------------------------- 9. ------------- ---9• List the expenditures you made on aceount, of this accident or injury: DATE ITEM AMOUNT Gov.'-..'Code Sec. 910:2 provides: "Theclaim must be signed by the claimant SEND NOTICES TO: (Attorney) or b some person on his behalf." Name and Address of Attorney P7-,.� Claimant's Si '- ture < �' Address Telephone No. I Telephone No. 5 ( CJ 't -7 y. N 0 T `Iy'C`E Section 72 of the Penal Code provides: - "Every person who, with intent to defraud, presents for allowance or for payment to any state board or officer, or to any county, city or district board or officer, authorized to allow or pay the same if genuine, any false or fraudulent claim, bill, account, voucher, or writing, is punishable either by imprisonment in the county jail for a period of not more than one year, by a fine of not exceeding one thousand ($1,000), or by both such imprisonment and fine, or by imprisonment in the state prison, by a fine of not exceeding ten thousand dollars ($10,000, or by both such imprisonment and fine. f;•r c I toD'� AKnight Ridder Company MqU 3460 Hillview Avenue Palo Alto,CA 94304-1396 1-800-3-DIALOG(1.800-334-2564)or 415-858-3785 m N� A-� Your Search Isn't Complete Until You Check PAPERS! . . . • CLAIM I � BOARD OF SUPERVISORS OF CONTRA COSTA COUNTY, CALIFORNIA ,LUNE 28, 1994 Claim Against the County, or District governed by) BOARD ACTION the Board of Supervisors, Routing Endorsements, ) NOTICE TO CLAIMANT and Board Action. All Section references are to ) The copy of this document mailed to you is your notice of California Government Codes. ) the action taken on your claim by the Board of Supervisors (Paragraph IV below), given pursuant to Government Code Amount: $20.00 Section 913 and 915.4. Plen3'0m iti7 i " rnings% ►�;s >" 70 CLAIMANT: STMGIS, Laimos Wayne JUN 9 I PA ATTOnNEY: COUNTY COUNSEL Date received MARTINEZ CALIF. ADDRESS: 901 Court St. BY DELIVERY TO CLERK ON June 9, 1994 Martinez, CA 94553 BY MAIL POSTMARKED: Interoffice Mail 1. FROM: Clerk of the Board of Supervisors TO: County Counsel Attached is a copy of the above-noted claim. Ig DATED: VIL Deputy OR, Clerk 11. FROM: County Counsel TO: Clerk of the Board of Supervisors This claim complies substantially with Sections 910 and 910.2. ( ) This claim FAILS to comply substantially with Sections 910 and 910.2, and we are so notifying , claimant. The Board cannot act for 15 days (Section 910.8). ( ) Claim is not timely filed. The Clerk should return claim on ground that it was filed late and send warning of claimant's right to apply for leave to present a late claim (Section 911.3). ( ) Other: Dated: LAI'"-AL- BY: Deputy County Counsel d- 111. FROM: Clerk of the Board TO: County Counsel (1) County Administrator (2) ( ) Claim was returned as untimely with notice to claimant (Section 911.3). IV. BOARD ORDER: By unanimous vote of the Supervisors present {✓) This Claim is rejected in full: ( ) Other: I certify that this is a true and correct copy of the Board's Order entered in its minutes for this date. ee nn Dated: PHIL BATCHELOR, Clerk, By fid, , l'A�. Ofl— ) . Deputy Clerk WARNING (Gov. code section 913) Subject to certain exceptions, you have only six (6) months from the date this notice was personally served or Aeposited in the mail to file a court action on this claim. _ See Government Code Section 945.6. 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. *For additional warnino see reverse side of this notice. AFFIDAVIT OF MAILING I declare under penalty of perjury that, I am now, and at all times herein mentioned, have been a citizen of the United States, over age 18; and that today I deposited in the United States Postal Service in Martinez, California, postage fully prepaid a certified copy of this Board Order and Notice to Claimant, addressed to 'the claimant as shown above. Dated:_ BY: PHIL BATCHELOR by �� 11p Deputy Clerk CC: County Counsel County Administrator VI � f � F 4-� c .tc i Claim 'to: BOARD OF SUPERVISORS OF CONTRA COSTA COUNTY INSTRUCTIONS TO CLAIMANT A. Claims relating to causes of action for death or for injury ._.o person or to per- sonal property or growing crops and which accrue on or before December 31, 19879 must be presented not later than the 100th day after the accrual of the cause of action. Claims relating to causes of action for death or for injury to person or to personal property or growing crops and which accrue on or after January 1, 1988, must be presented not later than six months after the accrual of the cause of action. Claims relating to any other cause of action must be presented not later than one year after the accrual of the cause of action. (Govt. Code §911.2.) B. Claims must be filed with the Clerk of the Board of Supervisors at its office in Room 106, County Administration Building, 651 Pine Street, Martinez, CA 94553• C. If claim is against a district governed by the Board of Supervisors, rather than the County, the name of the District should be filled in. D. If the claim is against more than one public entity, separate claims must be filed against each public entity. E. Fraud. See penalty for fraudulent claims, Penal Code Sec. 72 at the end of this orm. RE: Claim By ) Reserved for Clerk's filing stamp RECEIVED ?�$ wf Against the County of Contra Costa or —9 10 JU1r District) CLERK BOARD OF SUPERVISORS (Fill in name ) CONTRA COSTA CO. The undersigned claimant hereby makes claim against the County of Contra Costa or the above-named District in the sum of $ 9_0s o, and in support of this claim represents as. follows: 1. When did the damage or injury occur? (Give exact date and hour) -MAECA- _L_i._i. w___�_w ______w__ 2. Where did the damage or injury occur? (Include city and county) 3. How did the damage or injury occur? (Give full details; use extra paper if required),e Z., oo ivk-.r 'w1an- 9;0"ly �— ------------ ------------------�w�____ __-- 4. What particular act or omission on the part of county or district officers, servants or employees caused the injury or e? ,n. 00 ,V01Z4eX_ � S f �zo,t��u�y )i u��� �i-�m �y est Ac,r_v Imp puE r AA1 .�--17ry r t cl; � Sp �Z 1n4tle— 2 yea4; 40 (over) 5. What are the names of county or district officers, servants or employees causing ' the damage or injury? S. What damage or injuries do you claim resulted? (Give full extent of injuries or damages claimed. estimatestach two estim 'tes for /auto damage. L v 141 D1111711 , 1 7. How was the amount claimed above computed? (Include the estimated amount of any prospective injury or damage.) U � / B. Names and addresses of witnesses, doctors and hospitals. 9. List the expenditures you made on account of this accident or injury: DATE ITEM AMOUNT Gov. Code Sec. 910.2 provides: Ltor4ffi "The claim must be signed by the claimant SEND NOTICES TO: (A )> %. : , by some person on his behalf." Name and Address of Attorney_ Claimant's Signa8pmY 17 Address Telephone No. Telephone No. ` a • sf1t itaf • izi'I I'7—i'I'7'TTif NOTICE Section 72 of the Penal Code provides: "Every person who, with intent to defraud, presents for allowance or for payment to any state board or officer, or to any county, city or district board or officer, authorized to allow or pay the same if genuine, any false or fraudulent claim, bill, account, voucher, or writing, is punishable either by imprisonment in the county jail for a period of not more than one year, by a fine of not exceeding one thousand ($1,000), or by both such imprisonment and fine, or by imprisonment in the state prison, by a fine of not exceeding ten thousand dollars ($10,000, or by both such imprisonment and fine. g G�,Ff AP igs� --- � � � ._ r d!9_ 00 0. v e �za , �f� �sf3r- + t , CONTRA COSTA COUNTY DE7NTtON FA tUT1E5 ( )INMATE REQUEST OR INFORMATION ( }MEDICAL REQUEST Yr M To: .- �' t From:. Date;��J7 Housing Assignment:y (Do$��-y -� Check One: j} Request =-L t f}Gr ipvance Appeal i {)Other Request: I r- 1 Date Received: fReceived By:�. .: 's p Routed TO: ANSWER: { )APPROVED -- f ) DENIED{State Reason} ✓' -SIt --_ r_ By: Date: Cistribution-Pink:Kept by Innate;Y"ow Reply to Inmate;White:To Booking DET 024FRM Rev.1/2151 +. I CONTRA COSTA COUNTY DETENTION FACILITIES f ( )INMATE REQUEST OR INFORMATION ( )MEDICAL RE ` 4UE .if j Y # .• 1 4 TO From: Bkg.#: ' Oate_� �1;er/ f Hou Stn 1 nment Check One: (}GI•tpvance {}Appeal Reque t: G r. {}Other Date Received: Received By; k>�.3-.-.t, .�r •moi' �.�s;a`t^.:y ;iyr�:'.,�+ .'y-;�`,.k'�^l"' °•',icy y Routed To: ANSWER: { )APPROVED ( ) DENIED(State Reason) By, Distribution-Pink:Kept by Inmate;Yeik>w;Reply to Inmate;White: to Booking DET 024:FRM Rev, 1/2/B] r CONTRA CO, LINTY DETEryTIN FACILITIES INMATE REQUEST OR INFORMATION I s ( J MEDICAL REQUEST [ f To: Q From E-d YY1�1C 7 "Ti zTt{ �S Bkg.#� �0 � Housing cocrB) _ Date' usng Assignment: Check One: {J Request14 Grievance ()Appeai (j Other Request: - , 1c` . LDIUK til Date Received: eceived By: KIP Routed TO: ANSWE O APPROVED DENIED(State Reason) BY:_____ Date; l Distribialon-Pink:Kept by Inmate;Yellow:Reply to inmate;white:To Booking DET 024 rFRM Rev.112/9 x ': , ^+ r .. I . I. 4 r\ b CONTRA COSTA COUNTY DETENTION FACILITIES Y� • t ',Siy,' �?�'''f� .��$Fkscfo.a{��s I rc'�% < �- r ( )INMATE REQUEST OR INFORMATION ( )MEDICAL REQUEST From: LA 421 S Li :r T Bkg.# y�. L'� - (DOB) ��— i �Date:. L11_A-1_2y Housing Assignment: Check One: O Request O Grievance O Appeal O Other Request f , j , t 475 t i �r 4 I t Date Received: y 6 4 Received By: r f/,�°�•P G/t � k Routed To: 7T U K i - -ANSWER-'-"–.. O APPROVED O DENIED(State Reason) X( t uPrP !!P hf 0)c;n r c,cr �(- Go C rt)" i l Ck c n bt 7 f rc AJC t 1` CO \,, k , c I\E N ;c, < A of i 1 By ' t �� Date: Distribution-Pink:Kept by Inmate;Yellow:Reply to Inmate;White:To Booking 4i DET 024:FRM Rev.i/2/97 }o CLAIM I BOARD OF SUPERVISORS OF CONTRA COSTA COUNTY, CALIFORNIA JUNE 28, 1994 Claim Against the County, or District governed by) BOARD ACTION the Board of Supervisors, Routing Endorsements, ) NOTICE TO CLAIMANT and Board Action. All Section references are to The copy of this document mailed to you is your notice of California Government Codes. ) the action taken on your claim by the Board of Supervisors '�����,f(P.aragraph IV below), given pursuant to Government Code Amount: $1�000�000,00 + ���=-.:Section:'913 and 915.4. Please note all "Warnings". (°, CLAIMANT: SWAN, Milton Douglas JU11 14 9994 COUNTY COUNSEL ATTORNEY: MARTINEZ CALIF. Date received ADDRESS: 1771 Broadway St., #323 BY DELIVERY TO CLERK ON June 13, 199.4,` Concord, CA 94520 BY MAIL POSTMARKED: Hand Delivered 1. FROM: Clerk of the Board of Supervisors TO: county Counsel Attached is a copy of the above-noted claim. Q ee /► DATED: g�Il DeputyLOR, Clerk �R.o II. FROM: County Counsel TO: Clerk of the Board of Supervisors ( ✓) This claim complies substantially with Sections 910 and 910.2. r ( ) This claim FAILS to comply substantially with Sections 910 and 910.2, and we are so notifying r claimant. The Board cannot act.for 15 days (Section 910.8). ( ) Claim is not timely filed. The Clerk should return claim on ground that it was filed late and send warning of claimant's right to apply for leave to present a late claim (Section 911.3). ( Other: �� -C.l�c.ttiv� vJ �^' �=vJ l-D 1111-al-171 6* •'e__J "Le o 6&-Z h�Q Q��,3 Dated: v — /S BY: Deputy County Counsel III. FROM: Clerk of the Board TO: County Counsel (1) County Administrator (2) ( ) Claim was returned as untimely with notice to claimant (Section 911.3). IV. BOARD ORDER: By unanimous vote of the Supervisors present This Claim is rejected in full. ( ) Other: I certify that this is a true and correct copy of the Board's Order entered in its minutes for this date. Gated: $ PHIL BATCHELOR, Clerk, By Deputy Clerk e WARNING (Gov. code section 913) Subject to certain exceptions, you have only six (6) months from the date this notice was personally served or geposited in the mail to file a court action on this claim. See Government Code Section 945.6. 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. *For additional warning see reverse side of this notice. AFFIDAVIT OF MAILING I declare under penalty of perjury that I am now, and at all times herein mentioned, have been a citizen of the )nited States, over age 18; and that today I deposited In the United States Postal Service in Martinez, 'alifornia, postage fully prepaid a certified copy of this Board Order and Notice to Claimant, addressed to ;he claimant as shown above. ited: BY: PHIL BATCHELOR by �, t�aa �„ Deputy Clerk T- ': County Counsel County Administrator <I Clain BOARD OF SUPERVISORS OF CONTRA COSTA COUNTY INSTRUCTIONS TO CLAIMANT A. Claims relating to causes of action for death or for injury o.person or to per- sonal property or growing crops and Which accrue on or before December 31, 19879 must be presented not later than the 100th day after the accrual of the cause of action. Claims relating to causes of action for death or for injury to person or to personal property or growing crops and which accrue on or after January 1, 1988, must be presented not later than six months after the accrual of the cause of action. Claims relating to any other cause of action must be presented not later than one year after the accrual of the cause of action. (Govt. Code §911.2.) B. Claims must be filed with the Clerk of the Board of Supervisors at its office in Room 106, County Administration Building, 651 Pine Street, Martinez, CA 94553• C. If claim is against a district governed by the Board of Supervisors, rather than the County, the name of the District should be filled in. D. If the claim is against more than one public entity, separate claims must be filed against each public entity. E. Fraud. See penalty for fraudulent claims, Penal Code Sec. 72 at the end of this RE: Claim By ) Reserved for Cl�83nn3a aNak's filing stamp � MILTON DOUGLAS SWAN ) RECEIVED ) Against the County of Contra Costa ) JUN 131994 or ) District) CLERK BOARD OF SUPERVISORS Fill in name ) CONTRA COSTA CO. The undersigned claimant hereby makes claim against the County of Contra Costa or the above-named District in the sum of $ � n nn_n nn nn and in support of this claim represents as follows: 1. When did the damage or injury occur? (Give exact date and hour) SEE ATTACHED 2. Where did the damage or injury occur? (Include city and county) SEE ATTACHED 3. How did the damage or injury occur? (Give full details; use extra paper if required) SEE ATTACHED 4. What particular act or omission on the part of county or district officers, servants or employees caused the injury or damage? SEE ATTACHED (over) 5. What are the names of county or district officers, servants or employees causing the damage or injury? SEE ATTACHED 6. What damage or injuries do you claim resulted? (Give full extent of injuries or damages claimed. Attach two estimates for auto damage. SEE ATTACHED 7. How was the amount claimed above computed? (Include the estimated amount of any prospective injury or damage.) SEE ATTACHED 8. Names and addresses of witnesses, doctors and hospitals. SEE ATTACHED 9. List the expenditures you made on account of this accident or injury: DATE ITEM AMOUNT SEE ATTACHED Gov. Code Sec. 910.2 provides: "The claim must be signed by the claimant SEND NOTICES TO: (Attorney) or by someiperson on his behalf." Name and Address of Attorney MILTON DOUGLAS SWAN Claimant ignature 1771 Broadway St. , #323 1771 Broadway St. , #323 Concord CA 94520 Address Tel: (510) 689-4207 Concord CA 94520 Fax: (510) 671 -9058 Telephone No. Telephone No. (510) 689-4207 NOTICE Section 72 of the Penal Code provides: "Every person who, with intent to defraud, presents for allowance or for payment to any state board or officer, or to any county, city or district board or officer, authorized to allow or pay the same if genuine, any false or fraudulent claim, bill, account, voucher, or writing, is punishable either by imprisonment in the county jail for a period of not more than one year, by a fine of not .exceeding one thousand ($1,000), or by both such imprisonment and fine, or by imprisonment in the state prison, by a fine of not exceeding ten thousand dollars ($10,000, or by both such imprisonment and fine. JUN 13 ATTACHMENT \90J& of S&E ISO* TO: BOARD OF SUPERVISORS OF ctFAK�o Psk Tpco. CONTRA COSTA COUNTY CLAIMANT: MILTON DOUGLAS SWAN Item 1: Between approximately June of 1992 through to and including the present. Item 2: Pleasant Hill CA, Concord CA. Item 3: Contra Costa County Family Support Division, willfully and negligently OBSTRUCTED JUSTICE, NEGLIGENTLY INFLICTED SEVERE EMOTIONAL PAIN AND SUFFERING AND CAUSED THE LOSS OF CONSORTIUM WITH CLAIMANT'S MINOR CHILDREN to wit: Wilful and malicious failure to investigate the true facts surrounding a lien negligently imposed on claimant. Family Support Division representatives knew or should have known child support lien was based on fraud and misrepresentation from approximately August of 1993 to present; That claimant's ex-wife was receiving child support payments from the true biological father of claimant's second child; That claimant's ex-wife fully admitted to the biological origins of claimant's second daughter. Item 4: Contra Costa County Family Support Division,from approximately August of 1993 wilfully and maliciously refused to release said child support lien and continue to this day to negligently inflict emotional distress and government sanctioned extortion in attempting to collect a fraudulent lien which they knew was fraudulent, or should have known was fraudulent. Item 5: Ms. Tara McBrearty, Family Support Division, Ms. King,Family Support Division, District Attorney Gary T.Yancy,Sen.Deputy District Attorney, Gayle Elaine Graham,et.al. Item 6: Severe emotional distress,Loss of Consortium with Minor Children,Loss of Credit Standing. Item 7: Per above damages. Item 8: Irving L. Leiber,State Collections, 3406 Mt. Diablo Blvd.,Lafayette; Lewis Phon, 350 Sansome St.,#230, San Francisco; Bert Coker, 1431 Oakland Blvd., Suite 210,Walnut Creek; Ray Miles,Walnut Creek Nissan,Walnut Creek; Ron DePhillipo, Stead Cadillac, N. Main St.,Walnut Creek,Ted Spellman,Walnut Creek CA, Item 9: TO BE DETERMINED. - Milton Douglas Swan Claimant