Sunday, September 23, 2007

(Seven) Law suit George Lyons v. Lalonde and Storzbach

STATE OF Michigan
IN THE 44th JUDICAL CIRCUIT COURT OF (LIVINGSTON COUNTY)
210 S. HIGHLANDER WAY, HOWELL, MICHIGAN, 48843


GEORGE EDWARD LYONS A SINGLE MAN HONORABLE JUDGE
1711 PARKER ROAD Case no.
DEXTER, MICHIGAN 48130
734-426-5456

PLAINTIFF
-V-

CURT AND MARY ANN LALONDE H/W
3100 CRYSTAL SPRING LANE (AKA BETTY LYONS LANE)
Pinckney, Michigan 48169

DEFENDANTS

There is two other pending or unresolved criminal actions of Defendants making a false complaint to the State of Michigan Consumer & Industry services, reported against the Plaintiff for breach of contract, and Defendants filing a fraudulent judgment $72,900.00+ against the Plaintiff, arising out of this transaction or occurrence alleged in the complaint.

COMPLAINT

Plaintiff, George Edward Lyons, and for this Complaint, state:

COMMON ALLEGATIONS

1. Plaintiff, George Edward Lyons is a resident of Lima Township,
Washtenaw County, Michigan.

2. Defendants, Curt and Mary Ann Lalonde, are residents of Hamburg Township, in Livingston County, Michigan.

3. The actions of the Defendant, which give rise to this complaint, took place in Hamburg Township, Livingston County, Michigan.

4. Venue is proper in the 44th Judicial Court of Livingston County.


COUNT I-

FILING A FALSE COMPLAINT TO THE STATE OF MICHIGAN CONSUMER & INDUSTRY SERVICES TO SUPPORT STORZBACH FRAUDLENT LAW CASE, AND TO ACQUIRE ILLEGAL GAINS, IN THE LIVINGSTON COUNTY COURT SYSTEM.

5. Defendants Curt and Mary Ann Lalonde, made a fraudulent complaint against Plaintiff George Lyons, and Lyons Builders, Inc. Defendants suppressed evidence against Plaintiff. George Lyons was innocent on all fraudulent complaints made by the Defendants against the Plaintiff.

6. That the Defendants, had SUPPRESSSION OF EVIDENCE: the refusal to produce evidence or to allow evidence to be produced for use in litigation. Suppression of evidence refers most commonly to the sanction in a criminal case for an unreasonable search or seizure that violates a defendant’s constitutional rights. In 1914, the U.S. Supreme Court held that illegally seized evidence must be excluded from use in criminal trials.232 U.S. 383, In 1961, the Courts expanded the exclusionary rule to include state criminal trials, 367 U.S. 643. Defendants Curt and Mary Ann Lalonde, hid this evidence. Suppression of evidence also refers either to a party’s refusal to produce evidence or to interference by a party with the production of evidence when another party seeks the evidence pursuant to the law. In evidence may constitute an admission the evidence is unfavorable to the party refusing to product it. McCormick, Evidence 273 (2d ed. 1972

COUNT II-

filing a false Judgment on 3100 Crystal Spring lane aka Betty Lyons Lane, Pinckney, Mi. for $ 72,900.00+

8. Defendants acquired frauduant claims from the State of Michigan Consumer & Industry services to support there false levy on 3100 Crystal Spring Lane, aka (Betty Lyons Lane)Pinckney, Mi. See documents, and audiotapes.

COUNT III-COLLISION, OBSTRUCTION OF JUSTICE, MALIOUS PR0SECUTION

7. The Defendant may be possibly be charged with covering up evidence, collision, obstruction of justice, and malious prosecution by the Defendants attorney, and the Hamburg Police.

8. On the false filing, a false complaint to State of Michigan Consumer & Industry services. Defendants was audio taped, on may occasions, proving that his statements to Consumer & Industry Services were false and misleading, and that he criminally acquire funds from Lyons Builders, Inc. illegally, against 3100 Crystal Spring Lane, aka (Betty Lyons Lane)Pinckney, Mi.

9. Defendants, had made fraudulent statements to other clients and subcontractors, This was audio taped admitting that he had full knowledge that Defendants did, in fact, file a false and received a illegal Judgment on the Plaintiffs project at 3100 Crystal Spring Lane, aka (Betty Lyons Lane)Pinckney, Mi. giving illegal fraudulent support in the Livingston County Circuit Court.

10. The Plaintiff believes these actions of the Defendants made received a false judgment to illegally gains in 3100 Crystal Spring Lane, aka (Betty Lyons Lane)Pinckney, Mi. from the Plaintiffs.

11. Defendants had full knowledge and expressed it in an audio taped conversations with subcontractors, and George Lyons that Defendants Curt and Mary Ann Lalonde, conspiring against Plaintiff George Lyons and Lyons Builders, Inc. to illegally acquiring illegal control of Plaintiffs equity in 3100 Crystal Spring Lane, aka (Betty Lyons Lane)Pinckney, Mi. See audio tape

12. Plaintiffs has evidence of a criminal nature against Defendants Lalonde’s is available and, under the proper circumstances, will be presented to this honorable court.

13. That after Plaintiff was illegal being removed from 3100 Crystal Spring Lane, aka (Betty Lyons Lane) Pinckney, Mi. by Defendants. Fraudulent statements to Material handlers, and Subcontractors, past clients to protect the Defendants, illegal gains, Documents, audiotapes will be provided.

COUNT IV- filing and receiving a false Judgment 3100 Crystal Spring Lane, aka (Betty Lyons Lane)Pinckney, Mi. for $ 72,900.00+

14. Evidence has been obtained proving that Defendants committed a fraudulent and illegal filing of a $ 51,000,00+ levy on the Plaintiffs property at 5640 Shoshoni Pass, Pinckney, Michigan 48169. And permitting subcontractors to acquire illegal funds from 5640 Shoshoni Pass, Pinckney, Mi. 48169 equity to Plaintiff. This fraudulent clouding of 5640 Shoshoni Pass, Pinckney, Mi forcing to a pay-off subcontractors that was to be paid by Defendants.

DEFENDANTS MOTIVE

15. This Plaintiffs, belief is that Plaintiffs past clients conspired with Defendants Ronald and Virginia Storzbach were illegally removing Plaintiff from 5640 Shoshoni Pass, Pinckney, Mi. and 7709 Partridge Hill, Brighton, Mi. 48116. Defendants false allegations and illegal judgments against the Plaintiff’s, that if the Defendants Ronald and Virginia Storzbach, successfully remove Plaintiffs from and 7709 Partridge Hill, Brighton, Mi. 48116 by fraudulent statements by the Defendants.

16. And Defendants made fraudulent statements to other clients in Partridge Point, and other project outside of Partridge Point, Brighton, Mi. of which caused Plaintiffs in losing clients contracts.

17. That these fraudulent judgments and fraudulent statements would be used against Plaintiff George Lyons equity in 5640 Shoshoni Pass, Pinckney, Mi. and 7709 Partridge Hill, Brighton, Mi. 48116

18. In addition, the Defendants would lose illegal gains in 5460 Shoshoni, Pinckney, Mi. and 7709 Partridge Hill, Brighton, Mi. 48116.

19. In addition, lose of other clients that wanted to build with the Plaintiffs, by Defendants frauduent statements.

20. Defendants Ronald and Virginia Storzbach illegal actions caused major losses in Plaintiff life and career, lose of Plaintiff’s Real Estate Brokers license 25years and Builders license of 18 years with no complaints or violations, until the frauduent actions of the Defendants.

21. Lose of Plaintiff Martial home at 1194 Camelot, Pinckney, Mi. 48169. And forcing Plaintiff to live in a car for 4 years, along with living in an abandon building for 1 year. And Stopping the Plaintiff George Lyons in having proper legal representation to fight the false judgments that were illegal placed against the Plaintiff George Lyons, Defendant were using Plaintiff’s funds, that Defendants illegally acquired to support his legal representative.

22. Because of the Defendants actions, this cause severe reputation destruction and huge losses of funds to Defendant George Lyons and his companies.

23. This was an illegal actions of the Defendants Storzbach’s to acquire illegal equity from 5640 Shoshoni Pass, Pinckney, Mi. and 7709 Partridge Hill, Brighton, Mi. 48116 through fraud.

24. Which stopped George Lyons and Lyons Builders, Inc. from using the 5640 Shoshoni Pass, Pinckney, Mi.and 7709 Partridge Hill, Brighton, Mi. 48116 equity, and put a ripple effect to other past clients.

25. That Plaintiff had approx. $ 160,000.00 + of equity in 5640 Shoshoni Pass, Pinckney, Michigan 48169, and equity in property at 7709 Partridge Hill, Brighton, Mi. 48116 to be determined, to pay for proper legal assistance. Which would of pay for Legal representation against Defendants Ronald and Virginia Storzbach. See Defendants building contract and estimated cost that was signed and approved by Defendants and there legal representative.

26. The Plaintiff has in his possession evidence proving that the Defendants were not using the Defendants but the Plaintiffs money, which caused breaching of contract by the Defendants part.


VIOLATION OF THE MICHIGAN CONSUMER PROTECTION ACT

27. Defendants making fraudulent and criminal statements to State of
Michigan Consumer & Industry services, to acquire false statements to Livingston County Court system, and to acquire illegal funds from Plaintiffs.


FRAUDUALENT AND MISLEADING STATEMENTS MADE BY DEFENDANTS

28. The Defendants stated overwhelming fraudulent statements many times. Placing the Plaintiff’s George Lyons and Lyons Builders, Inc. in a fraudulent light in the eyes of the State of Michigan Consumer & Industry and the Livingston County Court system. SEE AUDIOTAPES.

29. The Defendants used emotions, and false statements and acquiring illegal funds to falsely control Defendants George Lyons, and Lyons Builders, Inc.

30. Plaintiffs states that after looking back by the actions of Defendant Storzbach’s. Defendant Storzbach has made overwhelming false allegations to control Plaintiff George Lyons, Lyons Builders, Inc.

31. And to fraudulently embezzle false equity from the Plaintiffs George Lyons property 5640 Shoshoni Pass, Pinckney, Mi. and 7709 Partridge Hill, Brighton, Mi. 48116.

32. Defendants fraudulently forcing Plaintiff’s in selling Lot 16 Partridge Point, Brighton, Michigan to Defendants.

33. The Plaintiffs recorded many conversations with Defendants, and their fraudulent actions. SEE AUDIOTAPES

PLAINTIFF’S LOSE OF INCOME $8,000,000.00 ON BUILDING LICENSE ALONE.

34. The Plaintiff George Lyons has lost major income over the years because the actions and interference of the Defendants against the Plaintiff and his companies. (See graph).

35. Defendants Karl and Marian Kopp should be held responsible for the Plaintiff losses and pay Plaintiff George Lyons back on all losses.
Damages

36. Plaintiff incorporate by reference paragraphs 1 through 35.

37. Defendant’s fraudulent representations were made intentionally and maliciously and have caused Plaintiff’s to suffer loss of income, humiliation, and outrage, lose of a 20-year marriage, deformation of character, and mental stress, and indignation.

38. Plaintiff should be entitled to damages as results of Defendants
Outrageous and criminal behavior.

39. As a result, of Defendant’s false misrepresentations, Plaintiff has suffered substantial economic losses.

Wherefore, Plaintiff George Edward Lyons request this honorable court enter judgment in his favor against the Defendant’s (Karl and Marian Kopp) in the amount of $14,000,000.00+ of loss income in building only Real Estate income to be determined later. For mental stress. And return to the Plaintiff 1194 Camelot, Pinckney, Mi. 48169 with clear title. Plus costs and attorney fees so wrongfully incurred as a results of the Defendant’s illegal actions. Plaintiff George Edward Lyons requests this honorable court award him damages from the Defendants (Curt Lalonde and Mary Ann Lalonde H/W). That was wrongfully incurred as results of Defendant’s egregious behavior.

Friday, April 09, 2004




By_______________________________
Plaintiff: George Edward Lyons
1711 Parker Road
Dexter, Michigan 48130
734-426-5456



STATE OF Michigan
IN THE 44th JUDICAL CIRCUIT COURT OF (LIVINGSTON COUNTY)
210 S. HIGHLANDER WAY, HOWELL, MICHIGAN, 48843


GEORGE EDWARD LYONS A SINGLE MAN HONORABLE JUDGE
1711 PARKER ROAD Case no.
DEXTER, MICHIGAN 48130
734-426-5456

PLAINTIFF-V-

RONALD STORZBACH AND VIRGINIA STORZBACH H/W
7709 PARTRIDGE HILL,
Brighton, Michigan 48116

DEFENDANTS

There is two other pending or unresolved criminal actions of Defendants making a false complaint to the State of Michigan Consumer & Industry services, reported against the Plaintiff for breach of contract, and Defendants filing a fraudulent Levy $51,000.00+ against the Plaintiff, arising out of this transaction or occurrence alleged in the complaint.

COMPLAINT


Plaintiff, George Edward Lyons, and for this Complaint, state:

COMMON ALLEGATIONS

1. Plaintiff, George Edward Lyons is a resident of Lima Township,
Washtenaw County, Michigan.

2. Defendants, Ronald and Virginia Storzbach, are residents of Hamburg Township, in Livingston County, Michigan.

3. The actions of the Defendant, which give rise to this complaint, took place in Hamburg Township, Livingston County, Michigan.

4. Venue is proper in the 44th Judicial Court of Livingston County.

COUNT I-FILING A FALSE COMPLAINT TO THE STATE OF MICHIGAN CONSUMER & INDUSTRY SERVICES TO SUPPORT STORZBACH FRAUDLENT LAW CASE, AND TO ACQUIRE ILLEGAL GAINS, IN THE LIVINGSTON COUNTY COURT SYSTEM.


5. Defendants Ronald and Virginia Storzbach, made a fraudulent complaint through the State of Michigan Consumer & Industry services, against Plaintiff George Lyons, and Lyons Builders, Inc. Defendants suppressed evidence against Plaintiff. George Lyons was innocent on all fraudulent complaints made by the Defendants against the Plaintiff.

6. The false complaint of the Defendants cause the State of Michigan Consumer & Industry Service to revoke George Lyons and Lyons Builders, Inc. builders license, and Real Estate Brokers license. And falsely fine Plaintiff George Lyons and Lyons Builders Inc $10,000.00.

7. The lose of Plaintiffs builders license cause loss of income of $14,000,000.00 for the illegal harassment of the Defendants Ronald and Virginia Storzbach.

8. That the Defendant through conversations with other past clients, the Defendants would contact them and make fraudulent statements against Plaintiffs George Lyons and Lyons Builders, Inc. to acquire their illegal gains. And extending these harassments into years of illegal actions of the Defendants against the Plaintiffs.

9. That the Defendants, had SUPPRESSSION OF EVIDENCE: the refusal to produce evidence or to allow evidence to be produced for use in litigation. Suppression of evidence refers most commonly to the sanction in a criminal case for an unreasonable search or seizure that violates a defendant’s constitutional rights. In 1914, the U.S. Supreme Court held that illegally seized evidence must be excluded from use in criminal trials.232 U.S. 383, In 1961, the Courts expanded the exclusionary rule to include state criminal trials, 367 U.S. 643. Defendants Ronald and Virginia Storzbachs conceal this evidence. Suppression of evidence also refers either to a party’s refusal to produce evidence or to interference by a party with the production of evidence when another party seeks the evidence pursuant to the law. In evidence may constitute an admission the evidence is unfavorable to the party refusing to product it. McCormick, Evidence 273 (2d ed. 1972

COUNT II- Defendants filed a false Levy on 5640 Shoshoni Pass, Pinckney, Mi. for $ 51,000.00+

8. Defendants acquired frauduant claims from the State of Michigan
Consumer & Industry services to support there false levy on 5640 Shoshoni Pass, Pinckney, Mi. By illegally clouded title of 5640 Shoshoni Pass, Pinckney, Mi.See documents, and audiotapes.


COUNT III-COLLISION, OBSTRUCTION OF JUSTICE, MALIOUS PR0SECUTION

10. The Defendant may be possibly be charged with covering up evidence, collision, obstruction of justice, and malious prosecution by the Defendants attorney, and the Hamburg Police.

11. On the false filing of the false complaint to State of Michigan Consumer & Industry services. Defendants was audio taped, on many occasions, proving that his statements to Consumer & Industry Services were false and misleading, and that he criminally acquire funds from Lyons Builders, Inc. illegally, against 5640 Shoshoni Pass, Pinckney, Mi. 48169 and 7709 Partridge Hill, Brighton, Mi. 48116.

12. Defendants, had made fraudulent statements to other clients and subcontractors and Material Handlers, This was audio taped admitting that he had full knowledge that Defendants did, in fact, file a false and illegal levy on the Plaintiffs property at 5640 Shoshoni Pass, Pinckney, Mi. giving illegal fraudulent support in using Lyons Builders, Inc. and George Lyons funds/equity, in the Livingston County Circuit Court.

13. The Plaintiff believes these actions of the Defendants made a false levy to illegally gains funds/equity in 5640 Shoshoni Pass, Pinckney, and Mi.48169 and 7709 Partridge Hill, Brighton, Mi. 48116 fraudulently from the Plaintiffs.

14. Defendants had full knowledge and expressed it in an audio taped conversations with subcontractors, and George Lyons that Defendants Ronald Storzbach, conspiring against Plaintiff George Lyons and Lyons Builders, Inc. to illegally acquiring illegal control of Plaintiffs funds/equity in 5640 Shoshoni Pass, Pinckney, Michigan and 7709 Partridge Hill, Brighton, Mi. 48116 See audio tape

15. Plaintiffs has evidence of a criminal nature against Defendants Storzbach’s is available and, under the proper circumstances, will be presented to this honorable court.

16. That after Plaintiff was illegal being removed from 7709 Partridge Hill, Brighton, Mi. 48116 by Defendants.

17. Defendants made fraudulent statements to Material handlers, and Subcontractors, past clients to protect the Defendants, illegal gains. Documents,and audiotapes will be provided.


COUNT IV- filing a false levy on 5640 Shoshoni Pass, Pinckney, Mi. for $ 51,000.00+

18. Evidence has been obtained proving that Defendants committed a fraudulent and illegal filing of a $ 51,000,00+ levy on the Plaintiffs property at 5640 Shoshoni Pass, Pinckney, Michigan 48169.
19. Defendants told subcontractors from Storzbach’s project to file false liens against 5460 Shoshoni Pass, Pinckney, Mi. Defendants illegal collect funds from 5640 Shoshoni Pass, Pinckney, Mi. 48169 equity that was owed to the Plaintiff.

20. Defendants fraudulent clouding of title on 5640 Shoshoni Pass, Pinckney, Mi forcing to a pay-off subcontractors that was the responsibility of the Defendants. Plaintiffs was forced to pay Storzbachs subcontractors.


DEFENDANTS MOTIVE

21. Plaintiffs past clients, conspired with Defendants Ronald and Virginia Storzbach were illegally acquire funds on 5640 Shoshoni Pass, Pinckney, Mi. and and illegally acquiring funds and illegally removing Plaintiff from 7709 Partridge Hill, Brighton, Mi. 48116.

22. Defendants false allegations and illegal judgments that Defendant received against the Plaintiff’s.

23. That if the Defendants Ronald and Virginia Storzbach, illegally remove Plaintiffs from and 7709 Partridge Hill, Brighton, Mi. 48116 by fraudulent statements by the Defendants, Ronald and Virginia Storzbach acquired overwhelming illegal funds, through criminal actions and fraud.

24. And Defendants made fraudulent statements to other clients in Partridge Point, and other project outside of Partridge Point, Brighton, Mi. of which caused Plaintiffs in losing other clients building contracts, and lot sales.

25. Defendants would use these fraudulent judgments and fraudulent statements against Plaintiff George Lyons equity in 5640 Shoshoni Pass, Pinckney, Mi. and 7709 Partridge Hill, Brighton, Mi. 48116


26. In addition, lose of other clients, because of the Defendants illegal actions. These other clients wanted to build with the Plaintiffs, and were lost because of Defendants fraudulent statements.

27. Defendants Ronald and Virginia Storzbach illegal actions caused major losses in Plaintiff life and career.

28. Lose of Plaintiff’s Real Estate Brokers license 25 years and Builders license of 18 years that had with no complaints or violations in that period of time, until the frauduent actions of the Defendants.

29. Defendants caused false charged of $10,000.00 fine against the Plaintiffs issued the State of Michigan Consumer & Industry services, because of the illegal action of the Defendants.

30. The Defendants forcing the Plaintiff property 5640 Shoshoni Pass, Pinckney, Mi. 48169 be placed into the circuit court hands for illegal disputation, because of the illegal complaints of Defendants.

31. Ronald and Virginia Storzbach and Richard and Ann Friberg that were under building contracts. FRIBERG WAS on 5640 Shoshoni Pass, Pinckney, Mi.

32. Friberg’s joined the Defendants in making a fraudulent complaint to State of Michigan, Consumer & Industry services.

33. The Fribergs fraudulent complaint against the Plaintiffs was closed by Consumer and Industry services, and the findings of the State of Michigan Consumer & Industry services against Plaintiff George Lyons and Lyons Builders, Inc. is that the Plaintiffs did no violation against the Fribergs.

34. The Fribergs illegal join suit in the Livingston County Circuit court, with the Defendants Ronald and Virginia Storzbach.The defendants Ronald and Virginia Storzbach using fraululent statements and received illegal funds along with Richard and Ann Friberg’s from the Plaintiffs George Lyons and Lyons Builders, Inc.

35. Plaintiff Martial home at 1194 Camelot, Pinckney, Mi. 48169 was lost because of the illegal actions of the Defendants Ronald and Virginia Storzbach and Richard and Ann Friberg.

36. Defendants illegal actions caused the Plaintiff to face false N.S.F. charges, when the Defendants received illegal funds from the 5640 Shoshoni Pass, Pinckney, Michigan closing. Causing the Plaintiff to face 5 years of Probation.

37. And forcing Plaintiff to live in a car for 2 ½ years, along with living in an abandon building for 1 year.

38. Defendants Stopped the Plaintiff George Lyons and Lyons Builders, Inc. in having proper legal representation to fight the false allegations and false judgments that were illegal placed against the Plaintiff George Lyons.

39. Defendants were using Plaintiff’s funds from 5640 Shoshoni Pass, Pinckney, Mi. and 7709 Partridge Hill, Brighton, Mi. 48116 that Defendants illegally acquired to support his legal representative.

40. Because of the Defendants actions, this cause severe reputation destruction and huge losses of funds to Defendant George Lyons and his companies.

41. This was an illegal actions of the Defendants Storzbach’s to acquire illegal equity from 5640 Shoshoni Pass, Pinckney, Mi. and 7709 Partridge Hill, Brighton, Mi. 48116 through fraud.

42. Which stopped George Lyons and Lyons Builders, Inc. from using the 5640 Shoshoni Pass, Pinckney, Mi.and 7709 Partridge Hill, Brighton, Mi. 48116 equity, and put a ripple effect to other clients of Lyons Builders, Inc.

43. That Plaintiff had approx. $ 160,000.00 + of equity in 5640 Shoshoni Pass, Pinckney, Michigan 48169, and equity in property at 7709 Partridge Hill, Brighton, Mi. 48116 to be determined, to pay for proper legal assistance.

44. Which would of pay for Legal representation against Defendants Ronald and Virginia Storzbach. See Defendants building contract and budget cost that was signed and approved by Defendants and there legal representative.

45. The Plaintiff has in his possession evidence proving that the Defendants were not using the Defendants money, but the Plaintiffs money, which caused breaching of contract on the Defendants part.

VIOLATION OF THE MICHIGAN CONSUMER PROTECTION ACT

46. Defendants making fraudulent and criminal statements to State of
Michigan Consumer & Industry services, to acquire false statements to Livingston County Court system, and to acquire illegal funds from Plaintiffs.

FRAUDUALENT AND MISLEADING STATEMENTS MADE BY DEFENDANTS

47. The Defendants stated overwhelming fraudulent statements. Placing the Plaintiff’s George Lyons and Lyons Builders, Inc. in a fraudulent light in the eyes of the State of Michigan Consumer & Industry and the Livingston County Court system. SEE AUDIOTAPES and Documents.

48. The Defendants used emotions, and false statements and acquiring illegal funds to falsely control Defendants George Lyons, and Lyons Builders, Inc.

49. Plaintiffs states that after looking back by the actions of Defendant Storzbach’s.

50. Defendant Storzbach has made overwhelming false and criminal allegations to control Plaintiff George Lyons, Lyons Builders, Inc.

51. And to fraudulently embezzle false equity from the Plaintiffs George Lyons property 5640 Shoshoni Pass, Pinckney, Mi. and 7709 Partridge Hill, Brighton, Mi. 48116.

52. Defendants fraudulently forcing Plaintiff’s in selling Lot 16 Partridge Point, Brighton, Michigan to Defendants.

53. The Plaintiffs recorded many conversations with Defendants, and their fraudulent actions. SEE AUDIOTAPES

PLAINTIFF’S LOSE OF INCOME $8,000,000.00 ON BUILDING ALONE.

54. The Plaintiff George Lyons has lost major income over the years because the actions and interference of the Defendants against the Plaintiff and his companies. (See graph).

55. Defendants Ronald and Virginia Storzbach should be held responsible for the Plaintiff losses and pay Plaintiff George Lyons back on all losses.
Damages

56. Plaintiff incorporate by reference paragraphs 1 through 55 .

57. Defendant’s fraudulent representations were made intentionally and maliciously and have caused Plaintiff’s to suffer loss of income, humiliation, and outrage, lose of a 20-year marriage, deformation of character, and mental stress, and indignation.

58. Plaintiff should be entitled to damages as results of Defendants
outrageous and criminal behavior.

59. As a result, of Defendant’s false misrepresentations, Plaintiff has suffered substantial economic losses.

Wherefore, Plaintiff George Edward Lyons request this honorable court enter judgment in his favor against the Defendant’s (Karl and Marian Kopp) in the amount of $14,000,000.00+ of loss income in building only Real Estate income to be determined later. For mental stress.

And pay market price to return the Plaintiff 1194 Camelot, Pinckney, Mi. 48169 with clear title.

Plus costs and attorney fees so wrongfully incurred as a results of the Defendant’s illegal actions.

Plaintiffs George Edward Lyons requests this honorable court award him damages from the Defendants (Ronald and Virginia Storzbach). That was wrongfully incurred as results of Defendant’s egregious behavior.

Friday, April 09, 2004


By_______________________________
Plaintiff: George Edward Lyons
1711 Parker Road
Dexter, Michigan 48130
734-426-5456

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