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Motion to Exclude Sean Boushie

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Motion to Exclude Sean Boushie
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Motion to Exclude Sean Boushie

Shared by: Crystal L. Cox
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1/17/2012
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Crystal L. Cox

Investigative Blogger

Pro Se Defendant

Oregon Civil No. CV 11-0057 HZ





UNITED STATES DISTRICT COURT

DISTRICT OF OREGON

Portland Division





OBSIDIAN FINANCE GROUP, LLC and

KEVIN D. PADRICK, Plaintiffs



Civil No. CV 11-0057 HZ







CRYSTAL L. COX, Defendant





Defendant’s Motion to Exclude

Sean Boushie

as Witness and Public Observer





Defendant hereby moves the courts to exclude Sean Boushie as a witness or observer

in the Obsidian V. Cox Case.



Defendant is Filing this Motion to Exclude Montana Resident Sean Boushie from being

a Witness in Obsidian V. Cox, and From Being Allowed into the Court room due to

on going hatred, hate blogs, threats of intimidation at this trial and a belief that Sean

Boushie is in contact with Plaintiff Attorney David Aman in conspiracy to intimidate me

during and before this trial.



Plaintiff’s Attorney David Aman asked Pro Se Defendant Crystal L. Cox for

communications with Sean Boushie in his interrogatories, Defendant believe this to

be in order to harass and instill fear into defendant ,as Sean Boushie has, in her belief

threatened her life. Sean Boushie has no pertinent or factual information on the Summit

Bankruptcy or any details of the Post that the Defendant is on trial for, in any way. Sean

Boushie is simply a self appointed watchdog over all of Defendant’s Internet activities.



Defendant, Crystal L. Cox claims that David Aman, Attorney for Plaintiff, is Using Sean

Boushie to intimidate her and to put her under extreme duress during the Trial, in order

to hinder her ability to present her defense in a calm, rational, clear headed manner.

Defendant has included an Exhibit with this motion in which shows an extreme hate

blog regarding defendant and claims to show up at this trial to “piss her off”, and other

statements of intention to come to this trial and working with others against defendant,

simply to harass defendant. This blog and comments on other blogs of defendants,

as well as a two year stalking evidence, threats and harassment is reason defendant

moves the courts to exclude Sean Boushie from this proceeding in any way.



Defendant’s Record of that Montana Stalking issue is at this blog http://

www.montanacorruption.com ) Also an Exhibit Filed with this Motion.



Motion to Exclude Memorandum and Sean Boushie Hate Blog is included as Exhibit

with this Motion to Exclude Sean Boushie.









CERTIFICATE OF SERVICE



I hereby certify that I served the foregoing Motion to Exclude to Plaintiff Attorney

David Aman, Tonkon Torp At the Following Email Addresses

on November 9th, 2011:



To:



mary.costanzo@tonkon.com

david.aman@tonkon.com



steven.wilker@tonkon.com



With a Copy to the Oregon Courts and Electronic Filing

Cc: Michelle_Rawson@ord.uscourts.gov









Crystal L. Cox

Defendant Pro Se

Civil No. CV 11-0057 HZ


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