Saturday, September 22, 2007

(Eight)Patricia Ann Lyons Law Suit

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


GEORGE EDWARD LYONS HONORABLE JUDGE
1194 Camelot Case no.
Pinckney, MICHIGAN 48169
734-250-2734

PLAINTIFF
-V-
PATRICIA ANN LYONS
4849 Norvell
Grass Lake, Michigan
517-522-3705

DEFENDANTS


There are three other pending or unresolved criminal actions of Defendants making a false police report against the Plaintiff for Domestic abuse, and Defendants filing fraudulent allegations to the Friend of the court to stop plaintiff from see his children. For collusion, filing a fraudulent embezzlement of funds from a closing on 5654 Shoshoni Pass, Pinckney, Michigan, and embezzlement of lot 2 Betty Lyons Lane, Pinckney, Michigan. 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, Patricia Ann Lyons and Dale Fisher are residents of
Jackson County, Michigan.


3. The actions of the Defendant, which give rise to these complaints, took place in Putnam Township, and Hamburg Township, Livingston County, Michigan.

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


COUNT I-FILING A FALSE POLICE REPORT


5. Defendant Patricia Ann Lyons filed a fraudulent police report against Plaintiff George Lyons at the marital home 1194 Camelot, Pinckney, Mi. 48169, Defendant Patricia Ann Lyons suppressed evidence, for giving evidence that Plaintiff George Lyons was innocent on a false police report made by the Defendant Patricia Ann Lyons made against the Plaintiff, where the Defendant Patricia Ann Lyons made a false police report for Domestic Abuse at marital home 1194 Camelot, Pinckney, Mi.

6. New evidence was retrieved after judgment. Proving beyond a reasonable doubt, that Defendant Patricia A. Lyons made a fraudulent criminal false police report against the Plaintiff George Edward Lyons.

7. The false Police report by the Defendant Patricia A. Lyons placed Plaintiff George Lyons in an unfavorable light, and large losses of income.

8. Plaintiff George Edward Lyons had to serve 2 years to and report to a probation office wrongly served by the Plaintiff George Edward Lyons because of the criminal actions of the Defendant Patricia A. Lyons, this criminal action of the Defendant was to control the

Plaintiff George Edward Lyons. After this action is overturned, the Defendant should face criminal charges for her illegal actions.

COUNT II-SUPPRESSION OF EVIDENCE

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 that violates a Plaintiff’s at time was George Edward Lyons, 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. This evidence was withheld by Defendant Patricia Ann Lyons and Dale Fisher.

10. Suppression or withholding 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 III-COLLISION, OBSTRUCTION OF JUSTICE, MALIOUS PROSECUTION

11. The Defendants Patricia Ann Lyons and Dale Fisher may be possibly be charged with destroying of evidence, withholding evidence, collision,

Obstruction of justice and malicious prosecution by the Defendants

12. On the false filing of the false police report, by the Defendant Patricia Ann Lyons was audio taped by Plaintiff at marital home 1194 Camelot, Pinckney, Mi.

13. Defendant Patricia Ann Lyons was audio taped admitting Plaintiff was removed from marital home 1194 Camelot, Pinckney, Mi. By the Defendant Patricia Ann Lyons attorney, advise.

14. Which was illegal done by the Defendant Patricia Ann Lyons, which caused the Plaintiff George Lyons server losses, over $8,000,000.00, just in Lyons Builders, Inc. income, which was Plaintiff Company?

15. Loss of The Plaintiff marital home at 1194 Camelot, Pinckney, Mi. Loss of income of past clients, that were embezzling monies from the Plaintiff George Lyons and Lyons Builders, Inc. and Lyons, Inc.

16. The Plaintiff believes these actions of the Defendants Patricia Ann Lyons in making a False Police Report to illegally gain 1194 Camelot, Pinckney, Mi. and covering-up embezzled monies from 5654 Shoshoni Pass, Pinckney, Mi. and to illegally/embezzle lot 2 Betty Lyons Lane, Pinckney, Mi. from the Plaintiff George Lyons.

17. The actions of the Defendants were to completely stop the Plaintiff from having any monies to pay legal representation to correct the illegal and criminal actions of the Defendants, and to protect the illegal gains of the Defendants.

18. Plaintiff recorded Marian Kopp acknowledging and expressed it in an audio taped conversations with George Lyons that Karl Kopp, her husband, and Patricia A. Lyons Plaintiff ex-wife were conspiring against George Lyons to illegally acquiring, Plaintiffs home at 1194 Camelot, Pinckney, Michigan and conspiring to acquiring Plaintiffs equity in 1194 Camelot, Pinckney, Mi. See audio tape

19. Plaintiff has evidence of a criminal nature against Defendants Patricia Ann Lyons and Dale Fisher is available and, under the proper circumstances, will be presented to this honorable court.

20. That after Plaintiff was illegal being removed from 1194 Camelot, Pinckney, Mi. 48169 by Plaintiff Patricia A. Lyons. And illegally arrested by the false police report The Defendants and the Kopp’s illegally hidden and removed evidence, to protect the Defendants, illegal gains, pictures will be provided.


COUNT IV-FRAUDULENT FORFEITURE

21. Evidence has been obtained proving that Defendant Patricia Ann Lyons and Karl and Marian Kopp committed a fraudulent forfeiture on the Plaintiff marital home at 1194 Camelot, Pinckney, Michigan 48169.

22. Overwhelming evidence was given to the following people that represented the Friend of the court proving that Plaintiff George Lyons was innocent of Defendants Patricia Ann Lyons and Dale Fisher, false allegation and these people kept Plaintiff children from him.

a. Honorable Judge Susan Reck
b. Gerald Edit friend of the court referee
c. Dr. Richard Zipper:
d. Bonnie Miller, attorney for Defendant Patricia A. Lyons
e. Monica Coupland: court appointed attorney to represent the daughters of Defendant Patricia Ann Lyons and Plaintiff George Lyons.
f. Dale Fisher:

DEFENDANTS MOTIVE

23. This writers belief is that Plaintiffs Patricia A. Lyons conspired with Defendants Karl F. Kopp and Marian Kopp, were illegally removing Plaintiff from 1194 Camelot, Pinckney, Mi. because of false allegations and illegal judgments against the Plaintiff’s George Lyons and Lyons Builders, Inc, that if the Defendant Patricia Ann Lyons and Karl F. Kopp and Marian Kopp, did not remove Plaintiff from marital home 1194 Camelot, Pinckney, Mi. 48169 That these past judgments would be used against Plaintiffs George Lyons equity in 1194 Camelot, Pinckney, Mi.

Defendant Patricia Ann Lyons and Karl F. Kopp and Marian Kopp would lose there investments and equity in the marital home at 1194 Camelot, Pinckney, Mi.

Defendant Patricia Ann Lyons and Karl F. Kopp and Marian J. Kopp illegal actions caused major losses in Plaintiff life and career, forcing Plaintiff to live in a car for 4 years, along with living in an abandon building for 1 year. $8,000,000.00 of loses income for Lyons Builders, Inc.
Stopping the Plaintiff George Lyons in having proper legal representation to fight the false judgments that were illegal placed against the Plaintiff George Lyons and Lyons Builders, Inc. and Lyons Inc.

24. Because of the Defendant Patricia Ann Lyons actions, this cause severe reputation destruction and huge losses of funds to Plaintiff George Lyons and his companies.

25. This was an action of the Defendants and the Kopp’s to acquire 1194 Camelot, Pinckney, Mi. and illegal funds from 5654 Shoshoni Pass, Pinckney, Mi., and Lot 2 Betty Lyons Lane, Pinckney, Mi. through criminal actions causing fraud.

26. These illegal actions of the Defendants stopped George Lyons from using the 1194 Camelot, Pinckney, Mi. That Plaintiff had approx.$ 800,000.00 + of equity in 1194 Camelot, Pinckney, Michigan 48169 to pay for proper legal assistance.

27. The equity would of pay-off Karl F. Kopp and Marian J. Kopp Land contract holders. See appraisal dated 1995 for marital home at 1194 Camelot, Pinckney, Mi. 48169.

FAILURE TO ESCROW WARRANTY DEED

28. Karl and Marian Kopp wrongfully recorded a Warranty Deed that was to be placed into an escrow. If this warranty deed was placed into an escrow account the Plaintiff George Lyons acquire an equity loan, could have used said Warranty deed and pay-off Defendants Land Contract holders. See escrow agreement of Warranty deed.

28. The Plaintiff has in his possession evidence proving that the Defendant Patricia Ann Lyons had full knowledge that Karl and Marian Kopp were paid in full for all monthly payments on said Land Contract and the Defendant Patricia Ann Lyons and Karl and Marian Kopp made at the time of the false forfeiture on Plaintiffs marital property at 1194 Camelot, Pinckney, Mi. 48169.


VIOLATION OF THE MICHIGAN CONSUMER PROTECTION ACT

29. Marian Kopp as a licensed real estate agent used her company Real Estate One, Ann Arbor office, to suppress the Plaintiffs George Lyons in recovering Plaintiffs George Lyons property marital home at 1194 Camelot, Pinckney, and Mi. 48169. And Marian Kopp as listing agent for Real Estate One, Ann Arbor Office suppressed the sale of 1194 Camelot, Pinckney, Mi. and other properties.

PAYING OFF LAND CONTRACT PAYMENTS

30. That the Kopp’s was using a $ 24,000.00 deposit from lot 3 Betty Lyons to Lot on Norcrest, Brighton, Michigan. Lyons Builders, Inc. that Plaintiffs building company to construct a home on Defendant property on there lot on Norcrest, Brighton, Mi. The income of Lyons Builders, Inc. was to be used to pay off land contract between Plaintiffs and the Kopp’s. See contract, plans, and building permits.

31. That Plaintiff George Lyons has audiotape conversation between Marian Kopp a licensed real estate agent, was receiving referrals from Plaintiff George Lyons Real Estate broker, over 100+ referrals, this to was to pay off Land contract between Plaintiff George Lyons real estate broker, and Plaintiff was also working for Country Wide mortgage company in foreclosures, and agreement between Plaintiff George Lyons and Marian Kopp, this to was agreed to pay-off land Contract between Plaintiff George Lyons and the Kopp’s. See audiotapes.


MISLEADING STATEMENTS OF DEFENDANTS

32. Marian Kopp stated overwhelming many times to the Plaintiff George Lyons, that Marian Kopp husband Karl Kopp was having an affair with Defendant Patricia A. Lyons. In placing Plaintiffs ex-wife, (also Defendant Patricia A. Lyons) in an adulterous light in the Plaintiff George Lyons eyes. SEE AUDIOTAPES

33. Marian Kopp after repeating and repeating to the Plaintiff George Lyons, That Defendant Karl Kopp and Patricia A. Lyons were having an affair. SEE AUDIOTAPES

34. Defendant Marian Kopp produced to the Plaintiff George Lyons a Divorce complaint between the Karl Kopp and Marian Kopp.

35. 36. Defendants Marian Kopp persists. Until after Defendants George Lyons divorce.

37. The Defendant, and that Karl Kopp were close friends.

38. Moreover, Plaintiff George Lyons stopped Marian statements of Karl Kopp and Patti Kopp love affair but tried to keep their relationship as friends because Karl and Marian Kopp had control of 1194 Camelot, Pinckney, Mi. 48169. At that, Plaintiff had no evidence to regain back 1194 Camelot, Pinckney, Mi. Evidence that Defendants and the Kopps hidden from the Plaintiff, and kept away from the Plaintiff George Lyons.

39. The Defendants and the Kopp’s used emotions, and false statements to control Plaintiff George Lyons.

40. After looking back by the actions of Defendants and the Kopps and Defendants, and the Kopps made false allegations to control Plaintiff George Lyons.

41. And to fraudulently embezzle Plaintiffs George Lyons property 1194 Camelot, Pinckney, Mi. and Lot 2 Betty Lyons Lane, Pinckney, Mi. and acquiring illegal funds from 5654 Shoshoni Pass, Pinckney, Mi. The Plaintiff recorded many conversations with Defendants and the Kopps, and her fraudulent actions. SEE AUDIOTAPES

$24,000.00 WAS MADE ON PAYMENT ON LAND CONTRACT

42. The Kopps stated that they receive no payments on said Land Contract between Defendants and Plaintiff on said false forfeiture case against the Plaintiff made by the Kopp’s. Plaintiff can prove beyond a reasonable doubt this was criminally embezzlement.

43. The Plaintiff request a emergency Warranty deeds and clear title to 1194 Camelot, Pinckney, Michigan 48169, to 5654 Shoshoni Pass, Pinckney, Michigan, and Lot 2 Betty Lyons Lane, Pinckney, Mi. and all income that Plaintiff lost $8,000,000.00 and to be given back to the Plaintiff.

DEFENDANTS LEFT 1194 CAMELOT IN MAJOR DIS-REPAIR

44. The property in question 1194 Camelot, Pinckney, Michigan 48130 has been gone into major disrepair, the Plaintiff George Lyons also request that the Defendants brings 1194 Camelot, Pinckney, Michigan, 48169 up to Plaintiff satisfactory repair to Plaintiff George Lyons satisfaction, this cost to be Defendants and the Kopp’s responsibility.


POSSIBLE INSURANCE FRAUD

45. The Plaintiff George Lyons notices that the Plaintiff George Lyons property 1194 Camelot, Pinckney, Michigan had a major problem with the heating and plumbing; this was to be cover by the Kopp’s Insurance.

46. The Plaintiff George Lyons believes after investigation used that insurance money, in other uses than 1194 Camelot, Pinckney, Mi. 48169.

47. This action of the Karl and Marian Kopp is possible insurance fraud on that Karl Kopp and Marian Kopp part.

PLAINTIFF LOSE OF INCOME $8,000,000.00

48. 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).

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

50. Plaintiff incorporate by reference paragraphs 1 through 49.

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

52. Plaintiff should be entitled to damages as results of Defendants outrageous behavior.

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

Conclusion

Wherefore, Plaintiff George Edward Lyons request this honorable court enter judgment in Plaintiff favor complete parental guardianship against the Defendant’s Patricia Ann Lyons and Dale Fisher.

My Daughters Jeannine Ann Lyons and Justina Marie Parker Lyons have been living with their mother(Patricia Ann Lyons) and Dale Fisher (boy friend ) in the same house. This is not the right place where two impressible girls. And Justina Marie Parker Lyons who is age 14 years old. I insist my daughters be removed form this home. And be brought up with a better moral structure living environment.

Plaintiff George Edward Lyons request this honorable court enter judgment in Plaintiff favor against the Defendant’s Patricia Ann Lyons and Dale Fisher for Plaintiff loss of income because of the Defendants illegal actions and false statements $8,000.000.00.

Return to the Plaintiff 1194 Camelot, Pinckney, Mi. 48169 at today’s market price. Return to Plaintiff Lot 2 Betty Lyons Lane, Pinckney, Mi. With clear titles. Return to Plaintiff 5456 Shoshoni Pass, Pinckney, Michigan 48169 at today’s appraised price Plus interest.

That charge’s be also brought against the Plaintiff’s for Tortious interference, civil conspiracy, restriction of trade, making a false police report, and fraud all falls under Statue of Limitations, of 6 years which started June of 2000.

And lost of income from Defendant Patricia A. Lyons illegally and embezzlement of funds from 5456 Shoshoni Pass, Pinckney, Mi 48169.
Plus costs and attorney fees so wrongfully incurred as a results of the Defendant’s illegal actions.

Plaintiff George Edward Lyons request this honorable court award him damages from the Defendants Patricia A. Lyons and Dale Fisher and Karl Francis Kopp and Marian Joan Kopp) for mental stress and loss of income of $8,000,000.00 to the Plaintiff George Edward Lyons.

And full repairs of 1194 Camelot, Pinckney, Mi. to Plaintiff satisfaction.
That was wrongfully incurred as results of Defendant’s Patricia Ann Lyons and Dale Fisher, egregious behavior.

Monday, July 18, 2005





By_______________________________
Plaintiff: George Edward Lyons
1194 Camelot,
Pinckney, Michigan 48169
734-250-2734