#StateFarmFiles – Part 1
Some of the lawyers accuse that I have not produced documents in the proper format, and that for some discovery questions I exceeded the expectations of what to produce, as I believe they are all relevant.
They all know I have a brain injury from a workplace injury in 2012, and a subsequent head injury in March 2019, after a volatile discussion with State Farm Adjuster Randy Brewer, begging for authorization to dismiss the assigned Premier Services Program vendors who failed to replace the roof, and increased the damages since it stormed and snowed for nearly 40 days with just a couple of days of sunshine –
The abuse, discrimination, harassment, threats, intimidation are unconscionable terror on boomer with disabilities.
After the call with Randy, in which he finally authorized dismissal of the two competing restoration companies on sit, I was heading to the house from the hotel, and slipped in the hotel parking lot. I attribute it to cognitive fatigue — and debilitation and horror of watching grown men destroy my Calfornia home with permission by State Farm Arizona adjusters.
My State Farm agent couldn’t be bothered to help me, but I was in his office often, showing pictures from my camera and begging for help. The State Farm office manager called and spoke a later assigned adjuster, Joey Camisso, and got no where.Â
The agent told me to “Lawyer up and sue for $10,000,0000….”  Jerk. He knew that California lawyers are apparently conflicted when it comes to litigation against insurance cartels.Â
I even got sanctioned….. this current set I just filed amended Plaintiff response… to a set of admissions along lines of demands that I admit I destroyed my own roof, destroyed my home and poisoned myself, and then I had to provide all the documentation related to same. Wild guerrilla lawfare…..Â
On December 5, 2022, the Court overruled demurrers and motions to strike and granted leave to amend others. On Tuesday, December 20, 2022, the Court will hear State Farm (first time in nearly two years) and the Court will hear American Environmental Group for the 4th time on the Complaint, and they have been in Court multiple times in apparent acts of litigation support as part of their services offered on their website.Â
I need a lawyer to help me clean up the 173 pages (it started out at less than 30!!!) Complaint and assistance in amending the Causes of Action. There may be more to amend after December 20, 2022 hearing. If you are a lawyer or know one, I’m not asking for representation – ya’ll have made it clear that not likely to happen for me – I do want some legal assistance to amend the Complaint. DO IT FOR AMERICA. I’ll sign an NDA that you helped me and I won’t disclose the costs either. You might discovery it was foolish that so many California attorneys refused to help me… if so, we can talk about representation.
State Farm hired AEG for a “mold clearance report” in March 2019 and by October 2019, State Farm authorized another environmental report that showed the entire house was extremely contaminated, primarily in the walls that were identified as water damaged in February 2019, but apparently neither dried nor chemically remediated, causing microbial growth contamination throughout the house.Â
By December 2019 I was getting visibly sick… neurologically too… weirdly, I could not manage to climb or descend stairs. Medical images of the extreme “rash” from head to toe are also included – but I don’t recommend looking at them unless you’re in the industry, or if you’re a victim of insurer fraud and toxic contamination due to unmitigated and covered up water damages. Â
If you’re in the industry and wish to use any of this information as training tools to save lives, go for it. There’s more to come; create a folder on your hard drive… some class actions may find some of this of value in the foreseeable future.
MOLD INJURIES ARE A NATIONAL HEALTH CRISIS CAUSED BY SHADY INSURANCE PRACTICES AND THEIR LITIGATION SUPPORT…. SOMEBODY MUST SOUND THE ALARMS….. Â
CONSULTANT SUGGESTS THAT THE YOUTUBE CHANNEL NEEDS AT LEAST 1,000 SUBSCRIBERS TO MAXIMIZE REACH .. AND THERE ARE IMPROVEMENTS IN THE WORKS FOR 2023…Â SUBSCRIBE IF YOU WILL! THANK YOU!
InsurerWars.com  https://youtube.com/@lindaayres
TAC – LINDA AYRES VS STATE FARM ET AL CIV SB 2016284 JULY 6 2022 –
THIRD AMENDED COMPLAINT OPENS UP IN THE ABOVE LINKS
tac EXHIBITS 1 – https://drive.google.com/file/d/1DPNnQr2bDzvQTKFFQbiLmqipdZjBXXTH/view?usp=drive_web
tac EXHIBITS 2 – https://drive.google.com/file/d/1-HROi80ySBNbMAprOJL4f6ncpSuqt-lJ/view
NOT INDEXED – PROBABLY SHOULD BE FOR THE 4TH AMENDED COMPLAINT; PRIOR ITERATIONS HAVE ADDITIONAL EXHIBITS; TO BE CONSOLIDATED
VISUAL TIMELINE OF WIND PERIL, ROOF LOSS WATER DAMAGE CLAIM OF 2/2/2019
VISUAL TIMELINE OPEN UP TO LARGE POSTER OF TIMELINE, RECOMMENDED BY CSLB TO HELP OTHERS UNDERSTAND THE COMPLEXITITY OF WHAT APPEARS TO BE RACKETEERING… RICO VIOLATIONS
INTERROGATORIES SET 9 EXHIBITS – LINKED AND INDEXED BELOW
EXHIBITS – SET ONEÂ Â
EXHIBITS – SET TWO
 |
INDEX OF DOCUMENTS PROVIDED 17.1 FORM INTERROGATORIES SET 9 – SERVED 11/13/2022 |
PAGE | content |
1 | cover sheet |
2 | Links to all documents related to all defendants, submitted to all defense counsels in 2021 |
3 | continuation of page 2 –Â |
4 | Index of the above production of documents file links – list of contents, PDR, Rapid Dry, Saveage, GeoEarth, ServPro, ConCon and AEG |
5 | continuage of page 4 – Copies of correspondence with Attorney General (who referred to DOI Commissioner) copies of all consumer complaints |
6 | Complete State Farm policy – part one & two |
7 | Conflicting info on role of assigned and required preferred vendors; claim rep draft |
8 | Google search on February 2, 2019 STORMAGEDDON storms that contributed to claim loss & weather related info |
9 | Expert Witness – Robert Griswold communication of 9/17/2019 |
10 | Index of discovery links – Production of Documents – PDR – correspondence and pleadings |
11 | Link to video of occupied but wall-less, ceilingless, floorless uninhabitable home plaintiff had to live in thru lockdown – feng shui consult |
12 | article regarding State Farm’s “Record-Breaking Growth Linked to Racketeering Enterprises” with extreme similarities to this Complaint |
13 | article regarding State Farm’s “Record-Breaking Growth Linked to Racketeering Enterprises” with extreme similarities to this Complaint |
14 | article regarding State Farm’s “Record-Breaking Growth Linked to Racketeering Enterprises” with & media contact |
15 | Indeix of the above production of documents file links – AEG Discovery – MTC 3 14 2022 – pod, forgs, interrogs, spxl interrogs etc. (abuse) |
16 | article Google Search – State Farm targeting of America’s children and apparent collusion with Disney to destroy and harm Americans |
17 | article Google Search – State Farm and Disney apparent collusions to destroy America |
18 | Index of above production of documents files – State Farm policy of Plaintiff, showing full coverage of all losses herein |
19 | Index of above production of documents files – Booth Discovery when Hillary Booth replaced Scott Greene due to threats to Plaintiff |
20 | Google search – State Farm Premier Services Program – 24,400,000 results; remaining defendants are members of said program |
21 | Google search – State Farm Premier Services program –Â page 2 on applications and approvals etc. |
22 | Google search – State Farm Preferred vendor program page 3 |
23 | Index of discovery links – Production of Documents – PDR -May 22 – DAMAGE RECEIPTS – 125k – PAYMENTS, CONTRACTS, WORK BEYOND PACKOUT, POLICYI |
24 | more detailed index of firstpages of documents propounded; all defense counsels have received all documents, mulitple times; abusive of AEG to keep asking for what they have received in transparency and good faith |
25 | more links and more discovery, including links to State Farm 4,000 data dump, PDR 92 PAGES XACTIMATE (THAT WAS NOT UPDATED THEREBY CONTRIBUTING TO TOXIC EXPOSURE AND LIFE THREATENING COLLUSION BETWEEN STATE FARM AND AEG |
26 | DETAILED INDEX- 35 WINDSTORM AND HAIL W – COVERAGE A –Â PDR 92 PAGES XACTIMATE COPIES (MULITPLE)Â PLUS CORRESPONDENCE – FURTHER EVIDENCE THAT AEG REPORT WAS CLEARLY FALSE, IMPOSSIBLE TO HAVE SHOWN NOW MICROBIAL GROWTH AFTER SUCH EXTENSIVE UNMITIATED UNREMEDIATEDÂ WATER DAMAGES OVER MULITPLE WEEKS |
27 | Detailed Index of submitted discovery including LARGE IMAGE OF TIMELINE AND WHICH VENDORS DID WHAT WHEN – ALL PARTIES HAVE RECEIVED this; SECOND AMENDED COMPLAINTS EXHIBITS AND POROOFS OF SERVICE, STATE FARM POLICY; PRODUCTION OF ALL MEDICAL DOCUMENTS – INLCUIDNG PHOTOS OF TOXIC EXPOSURE CONSEQUENCES AND HEAD INJURY OF 3/8/2019 AFTER EXTENSIVE CONVERSATION WITH RANDY BREWER, STATE FARM DESK ADJUSTER, WHO FINALLY AUTHORIZED DISMISSAL OF UNLAWFULLY ASSIGNED STATE FARM RPEFERRED VENDORS; RANDY LATER SUGGESTED LAWSUIT AGAINST BEST WESTERN HOTEL, WHERE STATE FARM HAD PROVIDED TEMPORAY HOUSING FOR PLAINTIFF.  Also includes links to twitter search links and related hashstags |
28 | Continued search links for twitter and hashtags which Pliantiff understood to be the request by defense counsel |
29 | Detailed index of Medical Records – head injury and toxic exposure due to failures to provide proper covered loss of use accommodations by State Farm adjuster in collusion with PDR – who originally allegedly advised State Farm this project would only take a few weeks to re roof, dryout, remediate and build back. |
30 | MEDICAL COMMUNICATIONS &Â list OF microbial mold species, provided to all defense counsels and public at large. |
31 | MEDICAL COMMUNICATIONS &Â list OF microbial mold species, provided to all defense counsels and public at large page 2 |
32 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
33 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
34 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
35 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
36 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
37 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
38 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
39 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
40 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
41 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
42 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
43 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
44 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
45 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
46 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
47 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
48 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
49 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
50 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
51 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
52 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
53 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
54 | PHOTO OF ROOFLESS TARPED HOUSE TAKEN BY PAUL DAVIS RESTORATION, CONTRACTOR CONNNECTION ASSIGNED GENERAL CONTRACTOR AND STATE FARM “ADJUSTER REPRESENTATIVE” |
55 | PDR DRAWING OF WATER DAMAGED AREAS OF THE HOUSE – AEG COULD NOT LEGITIMATELY HAVE SAID THERE WAS NO MICROBIAL GROWTH UNDER THOSE CIRCUMSTANCES – MAYBE STATE FARM WITHHELD THE INFORMATION FROM AEG IN ORDER TO PROCURE A MOLD CLEARANCE TO BUILD BACK ATÂ A LESSER COST, SINCE PDR HAD ADVISED RANDY BREWER THERE WAS ADDITIONAL WATER DAMAGE, MORE THAN NOTED IN THE 3/6/2019 CONTRACTOR CONNECTION XACTIMATE SUBMITTED AFTER NEARLY 40 DAYS OF LOSS |
56 | MOLD LITIGATION RESOURCE – MOLDCONGRESS.COM – plus images of toxic mold medical consequences to plaintiff by Dr Don Scott – Palm Springs |
57 | MOLD LITIGATION RESOURCE – MOLDCONGRESS.COM – plus images of toxic mold medical consequences to plaintiff by Dr Don Scott – Palm Springs |
58 | MEDICAL mages of toxic mold medical consequences to plaintiff by Dr Don Scott – Palm Springs |
59 | MEDICAL mages of toxic mold medical consequences to plaintiff by Dr Don Scott – Palm Springs |
60 | MEDICAL mages of toxic mold medical consequences to plaintiff by Dr Don Scott – Palm Springs |
61 | MEDICAL mages of toxic mold medical consequences to plaintiff by Dr Don Scott – Palm Springs |
62 | GOOGLE SERACHÂ CALIFORNIA STATUES OF THREATS regarding defense counsel threats and intimidation and abuses since 2019 |
63 | GOOGLE SERACHÂ CALIFORNIA STATUES OF THREATS regarding defense counsel threats and intimidation and abuses since 2019 |
64 | GOOGLE SERACHÂ CALIFORNIA STATUES OF THREATS regarding defense counsel threats and intimidation and abuses since 2019 |
65 | GOOGLE SERACHÂ CALIFORNIA STATUES OF THREATS regarding defense counsel threats and intimidation and abuses since 2019 |
66 | WEBSITE RESULTS ON state farm permier services program that also shows workmanship guaranteed – document states participation is voluntary – adjusters deny that. Randy Brewer told plaintiff, when she begged for “authorization” to replace the assigned vendors that “NOBODY LIKES THE STATE FARM PREFERRED VENDOR PROGRAM BUT WE’RE STUCK WITH IT.” |
67 | WEBSITE RESULTS ON state farm permier services program that also shows workmanship guaranteed – document states participation is voluntary – adjusters deny that. Randy Brewer told plaintiff, when she begged for “authorization” to replace the assigned vendors that “NOBODY LIKES THE STATE FARM PREFERRED VENDOR PROGRAM BUT WE’RE STUCK WITH IT.” – WATER MITIGATION AND FLOORING DISCUSSED ON WEBSITE AND CONTRACTOR SERVICES PROGRAM |
68 | WEBSITE RESULTS ON state farm permier services program that also shows workmanship guaranteed – document states participation is voluntary – adjusters deny that. Randy Brewer told plaintiff, when she begged for “authorization” to replace the assigned vendors that “NOBODY LIKES THE STATE FARM PREFERRED VENDOR PROGRAM BUT WE’RE STUCK WITH IT.” – roofing service program discussed; it was denied to Plaintiff… PDR called the very same roofer Plaintiff would have called directly, had she not been warned that she must use the assigined vendors for coverage by the call center and by first adjuster RANDY BREWER, who did all negotiations, authorizations and dismissals of all the remaining defendants plus one. |
69 | WEBSITE RESULTS ON state farm permier services program that also shows workmanship guaranteed – document states participation is voluntary – adjusters deny that. Randy Brewer told plaintiff, when she begged for “authorization” to replace the assigned vendors that “NOBODY LIKES THE STATE FARM PREFERRED VENDOR PROGRAM BUT WE’RE STUCK WITH IT.” – WATER MITIGATION AND FLOORING DISCUSSED ON WEBSITE AND CONTRACTOR SERVICES PROGRAM |
70 | WEBSITE FALSELY ADVERTISE THAT POLICY HOLDERS CHOOSE INDEPENDENT CONTRACTOR – OR THIS IS FURTHER PROOF OF FRAUD, BREACH OF CONTRACT, COLLUSION AND INTENTIONAL MISREPRESENTATION BY STATE FARM, PAUL DAVIS, CONTRACTOR CONNNECTION AND AEG |
71 | WEBSITE FALSELY ADVERTISE THAT POLICY HOLDERS CHOOSE INDEPENDENT CONTRACTOR – OR THIS IS FURTHER PROOF OF FRAUD, BREACH OF CONTRACT, COLLUSION AND INTENTIONAL MISREPRESENTATION BY STATE FARM, PAUL DAVIS, CONTRACTOR CONNNECTION AND AEG |
72 | FACEBOOK RESOURCES FOR SUPPORT FOR VICTIMS OF INSURER FRAUD AND TOXIC EXPOSURE CAUSED BY INSURERS AND THEIR PREFERRED AND ASSIGNED VENDORS, ACROSS AMERICA |
73 | FACEBOOK RESOURCES FOR SUPPORT FOR VICTIMS OF INSURER FRAUD AND TOXIC EXPOSURE CAUSED BY INSURERS AND THEIR PREFERRED AND ASSIGNED VENDORS, ACROSS AMERICA |
74 | FACEBOOK RESOURCES FOR SUPPORT FOR VICTIMS OF INSURER FRAUD AND TOXIC EXPOSURE CAUSED BY INSURERS AND THEIR PREFERRED AND ASSIGNED VENDORS, ACROSS AMERICA |
75 | FACEBOOK RESOURCES FOR SUPPORT FOR VICTIMS OF INSURER FRAUD AND TOXIC EXPOSURE CAUSED BY INSURERS AND THEIR PREFERRED AND ASSIGNED VENDORS, ACROSS AMERICA |
76 | DETAILED INDEX OF LINKS ABOVE – AEGE H BOOTH RE DISCOVERY 2022 AFTER HILLARY BOOTH TOOK OVER AS SOLE AEG DEFENSE COUNSEL COUNTACT FOR PLAINTIFF, FOR THE PROTECTION OF PLAINTIFF AGAINST FURTHER ABUSES BY AEG COUNSEL – INCLUDING BUT NOT LIMITED TO CYBER STALKING, THREATS OF WEAPONIZATION OF DISCOVERY, FINANCIAL RUIN AND OTHER THREATS THAT LED PLAINTIFF TO SEEK SECURITY AND SECURITY COUNSEL AS SHE WAS WARNED TO FEAR FOR HER LIFE BECAUSE OF REJECTIONS OF UNACCEPTABLE BAD FAITH SETTLEMENTS AND FIGHT BACK AGAINST INTIMIDATION AND OTHER THREATSÂ AND GASLIGHTING BY DEFENSE COUNSEL |
77 | STATE FARM TIMELINE – OUTLINE VERSION OF MIND MAP PROVIDED TO ALL DEFENESE COUNSELS, CREATED AT RECOMMENDATION OF CSLBÂ |
78 | STATE FARM TIMELINE – OUTLINE VERSION OF MIND MAP PROVIDED TO ALL DEFENESE COUNSELS, CREATED AT RECOMMENDATION OF CSLBÂ |
79 | STATE FARM TIMELINE – OUTLINE VERSION OF MIND MAP PROVIDED TO ALL DEFENESE COUNSELS, CREATED AT RECOMMENDATION OF CSLBÂ |
80 | STATE FARM TIMELINE – OUTLINE VERSION OF MIND MAP PROVIDED TO ALL DEFENESE COUNSELS, CREATED AT RECOMMENDATION OF CSLBÂ |
81 | STATE FARM TIMELINE – OUTLINE VERSION OF MIND MAP PROVIDED TO ALL DEFENESE COUNSELS, CREATED AT RECOMMENDATION OF CSLBÂ |
82 | STATE FARM TIMELINE – OUTLINE VERSION OF MIND MAP PROVIDED TO ALL DEFENESE COUNSELS, CREATED AT RECOMMENDATION OF CSLBÂ |
83 | STATE FARM TIMELINE -MIND MAP PROVIDED TO ALL DEFENESE COUNSELS, CREATED AT RECOMMENDATION OF CSLBÂ |
84 | 4 emails between State Farm and AEG as partial evidence of apparent collusion to create fraudulent report to mitigate liability for carrier |
85 | 4 emails between State Farm and AEG as partial evidence of apparent collusion to create fraudulent report to mitigate liability for carrier |
86 | 4 emails between State Farm and AEG as partial evidence of apparent collusion to create fraudulent report to mitigate liability for carrier |
87 | 4 emails between State Farm and AEG as partial evidence of apparent collusion to create fraudulent report to mitigate liability for carrier |
88 | 4 emails between State Farm and AEG as partial evidence of apparent collusion to create fraudulent report to mitigate liability for carrier |
89 | links to emails betwseen State Farm and AEG in apparent collusion to create fraudulent report to mitigate liability for carrier |
90 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
91 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
92 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
93 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
94 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
95 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
96 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
97 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
98 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
99 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
100 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
101 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
102 | PAUL DAVIS RESTORATION EMAIL STATE FARM 2 26 2019 regarding ADDITIONAL WATER DAMAGE – proving AEG report must be seriously flawed or clearly fraudulent, in colllusion with State Farm Adjusters –Â |
103 | AEG NOV 30 2022 email in lieu of meet and confer regarding discovery responses to admission demanding plaintiff admit, amongst other things, that she destroyed her own home and poisoned herself, and nobody harmed her but herself with copies of filings. Pure hogwash and contemptible lawfare. |
104 | AEG NOV 30 2022 email in lieu of meet and confer regarding discovery responses to admission demanding plaintiff admit, amongst other things, that she destroyed her own home and poisoned herself, and nobody harmed her but herself with copies of filings. Pure hogwash and contemptible lawfare. |
105 | AEG NOV 30 2022 email in lieu of meet and confer regarding discovery responses to admission demanding plaintiff admit, amongst other things, that she destroyed her own home and poisoned herself, and nobody harmed her but herself with copies of filings. Pure hogwash and contemptible lawfare. |
106 | AEG NOV 30 2022 email in lieu of meet and confer regarding discovery responses to admission demanding plaintiff admit, amongst other things, that she destroyed her own home and poisoned herself, and nobody harmed her but herself with copies of filings. Pure hogwash and contemptible lawfare. |
107 | AEG NOV 30 2022 email in lieu of meet and confer regarding discovery responses to admission demanding plaintiff admit, amongst other things, that she destroyed her own home and poisoned herself, and nobody harmed her but herself with copies of filings. Pure hogwash and contemptible lawfare. |
108 | AEG NOV 30 2022 email in lieu of meet and confer regarding discovery responses to admission demanding plaintiff admit, amongst other things, that she destroyed her own home and poisoned herself, and nobody harmed her but herself with copies of filings. Pure hogwash and contemptible lawfare. |
109 | AEG NOV 30 2022 email in lieu of meet and confer regarding discovery responses to admission demanding plaintiff admit, amongst other things, that she destroyed her own home and poisoned herself, and nobody harmed her but herself with copies of filings. Pure hogwash and contemptible lawfare. |
110 | AEG NOV 30 2022 email in lieu of meet and confer regarding discovery responses to admission demanding plaintiff admit, amongst other things, that she destroyed her own home and poisoned herself, and nobody harmed her but herself with copies of filings. Pure hogwash and contemptible lawfare. |
111 | AEG NOV 30 2022 email in lieu of meet and confer regarding discovery responses to admission demanding plaintiff admit, amongst other things, that she destroyed her own home and poisoned herself, and nobody harmed her but herself with copies of filings. Pure hogwash and contemptible lawfare. |
112 | AEG NOV 30 2022 email in lieu of meet and confer regarding discovery responses to admission demanding plaintiff admit, amongst other things, that she destroyed her own home and poisoned herself, and nobody harmed her but herself with copies of filings. Pure hogwash and contemptible lawfare. |
113 | Plaintiff response to Defense request for TAC answer extension and corrections to defense false allegations and threats that the entire TAC was subject to re-answering by AEG counsel |
114 | Plaintiff response to Defense request for TAC answer extension and corrections to defense false allegations and threats that the entire TAC was subject to re-answering by AEG counsel |
115 | Plaintiff response to Defense request for TAC answer extension and corrections to defense false allegations and threats that the entire TAC was subject to re-answering by AEG counsel |
116 | Visual of Complaint front pages of leaves to amend; note:Â ONLY AEG HAS BEEN HEARD BY COURT TILL DEC 2022 DUE TO EXTREME LAWFARE DISCOVERY ABUSE WITNESS INTIMDATION AND THREATS TO PLAINTIFF FOR REJECTING BAD FAITH SETTLEMENT OFFERS – ALL IN EFFORTS TO CAUSE PLAINTIFF TO HAVE LESS TIME TO SEEK LEGAL COUNSEL AND LITIGATION SUPPORT |
117 | Visual of Complaint front pages of leaves to amend; note:Â ONLY AEG HAS BEEN HEARD BY COURT TILL DEC 2022 DUE TO EXTREME LAWFARE DISCOVERY ABUSE WITNESS INTIMDATION AND THREATS TO PLAINTIFF FOR REJECTING BAD FAITH SETTLEMENT OFFERS – ALL IN EFFORTS TO CAUSE PLAINTIFF TO HAVE LESS TIME TO SEEK LEGAL COUNSEL AND LITIGATION SUPPORT |
118 | Visual of Complaint front pages of leaves to amend; note:Â ONLY AEG HAS BEEN HEARD BY COURT TILL DEC 2022 DUE TO EXTREME LAWFARE DISCOVERY ABUSE WITNESS INTIMDATION AND THREATS TO PLAINTIFF FOR REJECTING BAD FAITH SETTLEMENT OFFERS – ALL IN EFFORTS TO CAUSE PLAINTIFF TO HAVE LESS TIME TO SEEK LEGAL COUNSEL AND LITIGATION SUPPORT |
119 | Visual of Complaint front pages of leaves to amend; note:Â ONLY AEG HAS BEEN HEARD BY COURT TILL DEC 2022 DUE TO EXTREME LAWFARE DISCOVERY ABUSE WITNESS INTIMDATION AND THREATS TO PLAINTIFF FOR REJECTING BAD FAITH SETTLEMENT OFFERS – ALL IN EFFORTS TO CAUSE PLAINTIFF TO HAVE LESS TIME TO SEEK LEGAL COUNSEL AND LITIGATION SUPPORT |
120 | Visual of Complaint front pages of leaves to amend; note:Â ONLY AEG HAS BEEN HEARD BY COURT TILL DEC 2022 DUE TO EXTREME LAWFARE DISCOVERY ABUSE WITNESS INTIMDATION AND THREATS TO PLAINTIFF FOR REJECTING BAD FAITH SETTLEMENT OFFERS – ALL IN EFFORTS TO CAUSE PLAINTIFF TO HAVE LESS TIME TO SEEK LEGAL COUNSEL AND LITIGATION SUPPORT |
121 | Visual of Complaint front pages of leaves to amend; note:Â ONLY AEG HAS BEEN HEARD BY COURT TILL DEC 2022 DUE TO EXTREME LAWFARE DISCOVERY ABUSE WITNESS INTIMDATION AND THREATS TO PLAINTIFF FOR REJECTING BAD FAITH SETTLEMENT OFFERS – ALL IN EFFORTS TO CAUSE PLAINTIFF TO HAVE LESS TIME TO SEEK LEGAL COUNSEL AND LITIGATION SUPPORT |
122 | Visual of Complaint front pages of leaves to amend; note:Â ONLY AEG HAS BEEN HEARD BY COURT TILL DEC 2022 DUE TO EXTREME LAWFARE DISCOVERY ABUSE WITNESS INTIMDATION AND THREATS TO PLAINTIFF FOR REJECTING BAD FAITH SETTLEMENT OFFERS – ALL IN EFFORTS TO CAUSE PLAINTIFF TO HAVE LESS TIME TO SEEK LEGAL COUNSEL AND LITIGATION SUPPORT |
123 | Visual of Complaint front pages of leaves to amend; note:Â ONLY AEG HAS BEEN HEARD BY COURT TILL DEC 2022 DUE TO EXTREME LAWFARE DISCOVERY ABUSE WITNESS INTIMDATION AND THREATS TO PLAINTIFF FOR REJECTING BAD FAITH SETTLEMENT OFFERS – ALL IN EFFORTS TO CAUSE PLAINTIFF TO HAVE LESS TIME TO SEEK LEGAL COUNSEL AND LITIGATION SUPPORT |
124 | Visual of Complaint front pages of leaves to amend; note:Â ONLY AEG HAS BEEN HEARD BY COURT TILL DEC 2022 DUE TO EXTREME LAWFARE DISCOVERY ABUSE WITNESS INTIMDATION AND THREATS TO PLAINTIFF FOR REJECTING BAD FAITH SETTLEMENT OFFERS – ALL IN EFFORTS TO CAUSE PLAINTIFF TO HAVE LESS TIME TO SEEK LEGAL COUNSEL AND LITIGATION SUPPORT |
125 | NOTICE TO AEG OF DEFAULT FOR FAILURE TO RESPOND TO THIRD AMENDED COMPLAINTEÂ Â 9/21/2022 FOLLOWED BY EXPARTE THEATRICS AND DECEPTIONS TO THE COURT, AS A PATTERN OF PRACTICEÂ |
126 | NOTICE TO AEG OF DEFAULT FOR FAILURE TO RESPOND TO THIRD AMENDED COMPLAINTEÂ Â 9/21/2022 FOLLOWED BY EXPARTE THEATRICS AND DECEPTIONS TO THE COURT, AS A PATTERN OF PRACTICEÂ |
127 | NOTICE TO AEG OF DEFAULT FOR FAILURE TO RESPOND TO THIRD AMENDED COMPLAINTEÂ Â 9/21/2022 FOLLOWED BY EXPARTE THEATRICS AND DECEPTIONS TO THE COURT, AS A PATTERN OF PRACTICEÂ |
128 | NOTICE TO AEG OF DEFAULT FOR FAILURE TO RESPOND TO THIRD AMENDED COMPLAINTEÂ Â 9/21/2022 FOLLOWED BY EXPARTE THEATRICS AND DECEPTIONS TO THE COURT, AS A PATTERN OF PRACTICEÂ |
129 | NOTICE TO AEG OF DEFAULT FOR FAILURE TO RESPOND TO THIRD AMENDED COMPLAINTEÂ Â 9/21/2022 FOLLOWED BY EXPARTE THEATRICS AND DECEPTIONS TO THE COURT, AS A PATTERN OF PRACTICEÂ |
130 | NOTICE TO AEG OF DEFAULT FOR FAILURE TO RESPOND TO THIRD AMENDED COMPLAINTEÂ Â 9/21/2022 FOLLOWED BY EXPARTE THEATRICS AND DECEPTIONS TO THE COURT, AS A PATTERN OF PRACTICEÂ |
131 | NOTICE TO AEG OF DEFAULT FOR FAILURE TO RESPOND TO THIRD AMENDED COMPLAINTEÂ Â 9/21/2022 FOLLOWED BY EXPARTE THEATRICS AND DECEPTIONS TO THE COURT, AS A PATTERN OF PRACTICEÂ |
132 | NOTICE TO AEG OF DEFAULT FOR FAILURE TO RESPOND TO THIRD AMENDED COMPLAINTEÂ Â 9/21/2022 FOLLOWED BY EXPARTE THEATRICS AND DECEPTIONS TO THE COURT, AS A PATTERN OF PRACTICEÂ |
133 | NOTICE TO AEG OF DEFAULT FOR FAILURE TO RESPOND TO THIRD AMENDED COMPLAINTEÂ Â 9/21/2022 FOLLOWED BY EXPARTE THEATRICS AND DECEPTIONS TO THE COURT, AS A PATTERN OF PRACTICEÂ |
134 | CONFIRMATION FORM HILLARY BOOTH, AEG DEFENSE COUNSEL, REGARDINGÂ TAC EXTENSION |
135 | EMAIL TO AEG COUNSEL FROM PLAINTIFF REGARDING INTIMIDATION OF ADMISSIONS DEMANDS AND FURTHER DISCOVERY ABUSE PRIOR TO EXPARTE HEARING INTIMIDATION, AFTER FALSE SERVICE FOR SAME HEARINGÂ UNTIL CALLED OUT ON FAILURE TO SERVE BY SERVING TO BLOCKED EMAIL ADDRESS BY DEFENSE COUNSEL; CLEARLY LAWFARE AND BAD FAITH AND BORDERS MORAL TURPITUDE |
136 | EMAIL TO AEG COUNSEL FROM PLAINTIFF REGARDING INTIMIDATION OF ADMISSIONS DEMANDS AND FURTHER DISCOVERY ABUSE PRIOR TO EXPARTE HEARING INTIMIDATION, AFTER FALSE SERVICE FOR SAME HEARINGÂ UNTIL CALLED OUT ON FAILURE TO SERVE BY SERVING TO BLOCKED EMAIL ADDRESS BY DEFENSE COUNSEL; CLEARLY LAWFARE AND BAD FAITH AND BORDERS MORAL TURPITUDE |
137 | EMAIL TO AEG COUNSEL FROM PLAINTIFF REGARDING INTIMIDATION OF ADMISSIONS DEMANDS AND FURTHER DISCOVERY ABUSE PRIOR TO EXPARTE HEARING INTIMIDATION, AFTER FALSE SERVICE FOR SAME HEARINGÂ UNTIL CALLED OUT ON FAILURE TO SERVE BY SERVING TO BLOCKED EMAIL ADDRESS BY DEFENSE COUNSEL; CLEARLY LAWFARE AND BAD FAITH AND BORDERS MORAL TURPITUDE |
138 | EMAIL TO AEG COUNSEL FROM PLAINTIFF REGARDING INTIMIDATION OF ADMISSIONS DEMANDS AND FURTHER DISCOVERY ABUSE PRIOR TO EXPARTE HEARING INTIMIDATION, AFTER FALSE SERVICE FOR SAME HEARINGÂ UNTIL CALLED OUT ON FAILURE TO SERVE BY SERVING TO BLOCKED EMAIL ADDRESS BY DEFENSE COUNSEL; CLEARLY LAWFARE AND BAD FAITH AND BORDERS MORAL TURPITUDE |
139 | PLAINTIFF EMAIL RESPONSE TO DISCOVERY ABUSE |
140 | PLAINTIFF EMAIL RESPONSE TO DISCOVERY ABUSE |
141 | PLAINTIFF EMAIL RESPONSE TO DISCOVERY ABUSE |
142 | PLAINTIFF EMAIL RESPONSE TO DISCOVERY ABUSE |
143 | PLAINTIFF EMAIL RESPONSE TO DISCOVERY ABUSE |
144 | AEG DENIALS OF DISCOVERY ABUSE, BURDENSOMENESS AND HARASSMENT AND PLAINTIFF RESPONSES |
145 | AEG DENIALS OF DISCOVERY ABUSE, BURDENSOMENESS AND HARASSMENT AND PLAINTIFF RESPONSES |
146 | AEG DENIALS OF DISCOVERY ABUSE, BURDENSOMENESS AND HARASSMENT AND PLAINTIFF RESPONSES |
147 | AEG DENIALS OF DISCOVERY ABUSE, BURDENSOMENESS AND HARASSMENT AND PLAINTIFF RESPONSES |
148 | AEG DENIALS OF DISCOVERY ABUSE, BURDENSOMENESS AND HARASSMENT AND PLAINTIFF RESPONSES |
149 | PROOF OF SERVICEÂ Â OF INITIAL DISCOVERY RESPONSE |
150 | PLAINTIFF’S BLOG SITE – GotContractorComplaints.com |
 | INDEX OF DOCUMENTS PROVIDED 17.1 FORM INTERROGATORIES SET 9 – SERVED 11/13/2022 |
PAGE | content |
1 | cover sheet |
2 | Links to all documents related to all defendants, submitted to all defense counsels in 2021 |
3 | continuation of page 2 –Â |
4 | Index of the above production of documents file links – list of contents, PDR, Rapid Dry, Saveage, GeoEarth, ServPro, ConCon and AEG |
5 | continuage of page 4 – Copies of correspondence with Attorney General (who referred to DOI Commissioner) copies of all consumer complaints |
6 | Complete State Farm policy – part one & two |
7 | Conflicting info on role of assigned and required preferred vendors; claim rep draft |
8 | Google search on February 2, 2019 STORMAGEDDON storms that contributed to claim loss & weather related info |
9 | Expert Witness – Robert Griswold communication of 9/17/2019 |
10 | Index of discovery links – Production of Documents – PDR – correspondence and pleadings |
11 | Link to video of occupied but wall-less, ceilingless, floorless uninhabitable home plaintiff had to live in thru lockdown – feng shui consult |
12 | article regarding State Farm’s “Record-Breaking Growth Linked to Racketeering Enterprises” with extreme similarities to this Complaint |
13 | article regarding State Farm’s “Record-Breaking Growth Linked to Racketeering Enterprises” with extreme similarities to this Complaint |
14 | article regarding State Farm’s “Record-Breaking Growth Linked to Racketeering Enterprises” with & media contact |
15 | Indeix of the above production of documents file links – AEG Discovery – MTC 3 14 2022 – pod, forgs, interrogs, spxl interrogs etc. (abuse) |
16 | article Google Search – State Farm targeting of America’s children and apparent collusion with Disney to destroy and harm Americans |
17 | article Google Search – State Farm and Disney apparent collusions to destroy America |
18 | Index of above production of documents files – State Farm policy of Plaintiff, showing full coverage of all losses herein |
19 | Index of above production of documents files – Booth Discovery when Hillary Booth replaced Scott Greene due to threats to Plaintiff |
20 | Google search – State Farm Premier Services Program – 24,400,000 results; remaining defendants are members of said program |
21 | Google search – State Farm Premier Services program –Â page 2 on applications and approvals etc. |
22 | Google search – State Farm Preferred vendor program page 3 |
23 | Index of discovery links – Production of Documents – PDR -May 22 – DAMAGE RECEIPTS – 125k – PAYMENTS, CONTRACTS, WORK BEYOND PACKOUT, POLICYI |
24 | more detailed index of firstpages of documents propounded; all defense counsels have received all documents, mulitple times; abusive of AEG to keep asking for what they have received in transparency and good faith |
25 | more links and more discovery, including links to State Farm 4,000 data dump, PDR 92 PAGES XACTIMATE (THAT WAS NOT UPDATED THEREBY CONTRIBUTING TO TOXIC EXPOSURE AND LIFE THREATENING COLLUSION BETWEEN STATE FARM AND AEG |
26 | DETAILED INDEX- 35 WINDSTORM AND HAIL W – COVERAGE A –Â PDR 92 PAGES XACTIMATE COPIES (MULITPLE)Â PLUS CORRESPONDENCE – FURTHER EVIDENCE THAT AEG REPORT WAS CLEARLY FALSE, IMPOSSIBLE TO HAVE SHOWN NOW MICROBIAL GROWTH AFTER SUCH EXTENSIVE UNMITIATED UNREMEDIATEDÂ WATER DAMAGES OVER MULITPLE WEEKS |
27 | Detailed Index of submitted discovery including LARGE IMAGE OF TIMELINE AND WHICH VENDORS DID WHAT WHEN – ALL PARTIES HAVE RECEIVED this; SECOND AMENDED COMPLAINTS EXHIBITS AND POROOFS OF SERVICE, STATE FARM POLICY; PRODUCTION OF ALL MEDICAL DOCUMENTS – INLCUIDNG PHOTOS OF TOXIC EXPOSURE CONSEQUENCES AND HEAD INJURY OF 3/8/2019 AFTER EXTENSIVE CONVERSATION WITH RANDY BREWER, STATE FARM DESK ADJUSTER, WHO FINALLY AUTHORIZED DISMISSAL OF UNLAWFULLY ASSIGNED STATE FARM RPEFERRED VENDORS; RANDY LATER SUGGESTED LAWSUIT AGAINST BEST WESTERN HOTEL, WHERE STATE FARM HAD PROVIDED TEMPORAY HOUSING FOR PLAINTIFF.  Also includes links to twitter search links and related hashstags |
28 | Continued search links for twitter and hashtags which Pliantiff understood to be the request by defense counsel |
29 | Detailed index of Medical Records – head injury and toxic exposure due to failures to provide proper covered loss of use accommodations by State Farm adjuster in collusion with PDR – who originally allegedly advised State Farm this project would only take a few weeks to re roof, dryout, remediate and build back. |
30 | MEDICAL COMMUNICATIONS &Â list OF microbial mold species, provided to all defense counsels and public at large. |
31 | MEDICAL COMMUNICATIONS &Â list OF microbial mold species, provided to all defense counsels and public at large page 2 |
32 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
33 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
34 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
35 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
36 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
37 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
38 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
39 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
40 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
41 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
42 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
43 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
44 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
45 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
46 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
47 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
48 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
49 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
50 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
51 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
52 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
53 | PHOTOS OF TOXIC EXPOSURE CONSEQUENCES TO PLAINTIFF – includes awful MEDICAL IMAGES TOO… |
54 | PHOTO OF ROOFLESS TARPED HOUSE TAKEN BY PAUL DAVIS RESTORATION, CONTRACTOR CONNNECTION ASSIGNED GENERAL CONTRACTOR AND STATE FARM “ADJUSTER REPRESENTATIVE” |
55 | PDR DRAWING OF WATER DAMAGED AREAS OF THE HOUSE – AEG COULD NOT LEGITIMATELY HAVE SAID THERE WAS NO MICROBIAL GROWTH UNDER THOSE CIRCUMSTANCES – MAYBE STATE FARM WITHHELD THE INFORMATION FROM AEG IN ORDER TO PROCURE A MOLD CLEARANCE TO BUILD BACK ATÂ A LESSER COST, SINCE PDR HAD ADVISED RANDY BREWER THERE WAS ADDITIONAL WATER DAMAGE, MORE THAN NOTED IN THE 3/6/2019 CONTRACTOR CONNECTION XACTIMATE SUBMITTED AFTER NEARLY 40 DAYS OF LOSS |
56 | MOLD LITIGATION RESOURCE – MOLDCONGRESS.COM – plus images of toxic mold medical consequences to plaintiff by Dr Don Scott – Palm Springs |
57 | MOLD LITIGATION RESOURCE – MOLDCONGRESS.COM – plus images of toxic mold medical consequences to plaintiff by Dr Don Scott – Palm Springs |
58 | MEDICAL mages of toxic mold medical consequences to plaintiff by Dr Don Scott – Palm Springs |
59 | MEDICAL mages of toxic mold medical consequences to plaintiff by Dr Don Scott – Palm Springs |
60 | MEDICAL mages of toxic mold medical consequences to plaintiff by Dr Don Scott – Palm Springs |
61 | MEDICAL mages of toxic mold medical consequences to plaintiff by Dr Don Scott – Palm Springs |
62 | GOOGLE SERACHÂ CALIFORNIA STATUES OF THREATS regarding defense counsel threats and intimidation and abuses since 2019 |
63 | GOOGLE SERACHÂ CALIFORNIA STATUES OF THREATS regarding defense counsel threats and intimidation and abuses since 2019 |
64 | GOOGLE SERACHÂ CALIFORNIA STATUES OF THREATS regarding defense counsel threats and intimidation and abuses since 2019 |
65 | GOOGLE SERACHÂ CALIFORNIA STATUES OF THREATS regarding defense counsel threats and intimidation and abuses since 2019 |
66 | WEBSITE RESULTS ON state farm permier services program that also shows workmanship guaranteed – document states participation is voluntary – adjusters deny that. Randy Brewer told plaintiff, when she begged for “authorization” to replace the assigned vendors that “NOBODY LIKES THE STATE FARM PREFERRED VENDOR PROGRAM BUT WE’RE STUCK WITH IT.” |
67 | WEBSITE RESULTS ON state farm permier services program that also shows workmanship guaranteed – document states participation is voluntary – adjusters deny that. Randy Brewer told plaintiff, when she begged for “authorization” to replace the assigned vendors that “NOBODY LIKES THE STATE FARM PREFERRED VENDOR PROGRAM BUT WE’RE STUCK WITH IT.” – WATER MITIGATION AND FLOORING DISCUSSED ON WEBSITE AND CONTRACTOR SERVICES PROGRAM |
68 | WEBSITE RESULTS ON state farm permier services program that also shows workmanship guaranteed – document states participation is voluntary – adjusters deny that. Randy Brewer told plaintiff, when she begged for “authorization” to replace the assigned vendors that “NOBODY LIKES THE STATE FARM PREFERRED VENDOR PROGRAM BUT WE’RE STUCK WITH IT.” – roofing service program discussed; it was denied to Plaintiff… PDR called the very same roofer Plaintiff would have called directly, had she not been warned that she must use the assigined vendors for coverage by the call center and by first adjuster RANDY BREWER, who did all negotiations, authorizations and dismissals of all the remaining defendants plus one. |
69 | WEBSITE RESULTS ON state farm permier services program that also shows workmanship guaranteed – document states participation is voluntary – adjusters deny that. Randy Brewer told plaintiff, when she begged for “authorization” to replace the assigned vendors that “NOBODY LIKES THE STATE FARM PREFERRED VENDOR PROGRAM BUT WE’RE STUCK WITH IT.” – WATER MITIGATION AND FLOORING DISCUSSED ON WEBSITE AND CONTRACTOR SERVICES PROGRAM |
70 | WEBSITE FALSELY ADVERTISE THAT POLICY HOLDERS CHOOSE INDEPENDENT CONTRACTOR – OR THIS IS FURTHER PROOF OF FRAUD, BREACH OF CONTRACT, COLLUSION AND INTENTIONAL MISREPRESENTATION BY STATE FARM, PAUL DAVIS, CONTRACTOR CONNNECTION AND AEG |
71 | WEBSITE FALSELY ADVERTISE THAT POLICY HOLDERS CHOOSE INDEPENDENT CONTRACTOR – OR THIS IS FURTHER PROOF OF FRAUD, BREACH OF CONTRACT, COLLUSION AND INTENTIONAL MISREPRESENTATION BY STATE FARM, PAUL DAVIS, CONTRACTOR CONNNECTION AND AEG |
72 | FACEBOOK RESOURCES FOR SUPPORT FOR VICTIMS OF INSURER FRAUD AND TOXIC EXPOSURE CAUSED BY INSURERS AND THEIR PREFERRED AND ASSIGNED VENDORS, ACROSS AMERICA |
73 | FACEBOOK RESOURCES FOR SUPPORT FOR VICTIMS OF INSURER FRAUD AND TOXIC EXPOSURE CAUSED BY INSURERS AND THEIR PREFERRED AND ASSIGNED VENDORS, ACROSS AMERICA |
74 | FACEBOOK RESOURCES FOR SUPPORT FOR VICTIMS OF INSURER FRAUD AND TOXIC EXPOSURE CAUSED BY INSURERS AND THEIR PREFERRED AND ASSIGNED VENDORS, ACROSS AMERICA |
75 | FACEBOOK RESOURCES FOR SUPPORT FOR VICTIMS OF INSURER FRAUD AND TOXIC EXPOSURE CAUSED BY INSURERS AND THEIR PREFERRED AND ASSIGNED VENDORS, ACROSS AMERICA |
76 | DETAILED INDEX OF LINKS ABOVE – AEGE H BOOTH RE DISCOVERY 2022 AFTER HILLARY BOOTH TOOK OVER AS SOLE AEG DEFENSE COUNSEL COUNTACT FOR PLAINTIFF, FOR THE PROTECTION OF PLAINTIFF AGAINST FURTHER ABUSES BY AEG COUNSEL – INCLUDING BUT NOT LIMITED TO CYBER STALKING, THREATS OF WEAPONIZATION OF DISCOVERY, FINANCIAL RUIN AND OTHER THREATS THAT LED PLAINTIFF TO SEEK SECURITY AND SECURITY COUNSEL AS SHE WAS WARNED TO FEAR FOR HER LIFE BECAUSE OF REJECTIONS OF UNACCEPTABLE BAD FAITH SETTLEMENTS AND FIGHT BACK AGAINST INTIMIDATION AND OTHER THREATSÂ AND GASLIGHTING BY DEFENSE COUNSEL |
77 | STATE FARM TIMELINE – OUTLINE VERSION OF MIND MAP PROVIDED TO ALL DEFENESE COUNSELS, CREATED AT RECOMMENDATION OF CSLBÂ |
78 | STATE FARM TIMELINE – OUTLINE VERSION OF MIND MAP PROVIDED TO ALL DEFENESE COUNSELS, CREATED AT RECOMMENDATION OF CSLBÂ |
79 | STATE FARM TIMELINE – OUTLINE VERSION OF MIND MAP PROVIDED TO ALL DEFENESE COUNSELS, CREATED AT RECOMMENDATION OF CSLBÂ |
80 | STATE FARM TIMELINE – OUTLINE VERSION OF MIND MAP PROVIDED TO ALL DEFENESE COUNSELS, CREATED AT RECOMMENDATION OF CSLBÂ |
81 | STATE FARM TIMELINE – OUTLINE VERSION OF MIND MAP PROVIDED TO ALL DEFENESE COUNSELS, CREATED AT RECOMMENDATION OF CSLBÂ |
82 | STATE FARM TIMELINE – OUTLINE VERSION OF MIND MAP PROVIDED TO ALL DEFENESE COUNSELS, CREATED AT RECOMMENDATION OF CSLBÂ |
83 | STATE FARM TIMELINE -MIND MAP PROVIDED TO ALL DEFENESE COUNSELS, CREATED AT RECOMMENDATION OF CSLBÂ |
84 | 4 emails between State Farm and AEG as partial evidence of apparent collusion to create fraudulent report to mitigate liability for carrier |
85 | 4 emails between State Farm and AEG as partial evidence of apparent collusion to create fraudulent report to mitigate liability for carrier |
86 | 4 emails between State Farm and AEG as partial evidence of apparent collusion to create fraudulent report to mitigate liability for carrier |
87 | 4 emails between State Farm and AEG as partial evidence of apparent collusion to create fraudulent report to mitigate liability for carrier |
88 | 4 emails between State Farm and AEG as partial evidence of apparent collusion to create fraudulent report to mitigate liability for carrier |
89 | links to emails betwseen State Farm and AEG in apparent collusion to create fraudulent report to mitigate liability for carrier |
90 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
91 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
92 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
93 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
94 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
95 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
96 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
97 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
98 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
99 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
100 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
101 | AEG website description of Litigation Support Services, Toxic Mold, Mold Testing etc apparently so provided to State Farm in preparation of false report and lawfare for nearly two years of what appears to be ‘runaway train’ level lawfare, costly to Court, clients, co-defendants and plaintiff |
102 | PAUL DAVIS RESTORATION EMAIL STATE FARM 2 26 2019 regarding ADDITIONAL WATER DAMAGE – proving AEG report must be seriously flawed or clearly fraudulent, in colllusion with State Farm Adjusters –Â |
103 | AEG NOV 30 2022 email in lieu of meet and confer regarding discovery responses to admission demanding plaintiff admit, amongst other things, that she destroyed her own home and poisoned herself, and nobody harmed her but herself with copies of filings. Pure hogwash and contemptible lawfare. |
104 | AEG NOV 30 2022 email in lieu of meet and confer regarding discovery responses to admission demanding plaintiff admit, amongst other things, that she destroyed her own home and poisoned herself, and nobody harmed her but herself with copies of filings. Pure hogwash and contemptible lawfare. |
105 | AEG NOV 30 2022 email in lieu of meet and confer regarding discovery responses to admission demanding plaintiff admit, amongst other things, that she destroyed her own home and poisoned herself, and nobody harmed her but herself with copies of filings. Pure hogwash and contemptible lawfare. |
106 | AEG NOV 30 2022 email in lieu of meet and confer regarding discovery responses to admission demanding plaintiff admit, amongst other things, that she destroyed her own home and poisoned herself, and nobody harmed her but herself with copies of filings. Pure hogwash and contemptible lawfare. |
107 | AEG NOV 30 2022 email in lieu of meet and confer regarding discovery responses to admission demanding plaintiff admit, amongst other things, that she destroyed her own home and poisoned herself, and nobody harmed her but herself with copies of filings. Pure hogwash and contemptible lawfare. |
108 | AEG NOV 30 2022 email in lieu of meet and confer regarding discovery responses to admission demanding plaintiff admit, amongst other things, that she destroyed her own home and poisoned herself, and nobody harmed her but herself with copies of filings. Pure hogwash and contemptible lawfare. |
109 | AEG NOV 30 2022 email in lieu of meet and confer regarding discovery responses to admission demanding plaintiff admit, amongst other things, that she destroyed her own home and poisoned herself, and nobody harmed her but herself with copies of filings. Pure hogwash and contemptible lawfare. |
110 | AEG NOV 30 2022 email in lieu of meet and confer regarding discovery responses to admission demanding plaintiff admit, amongst other things, that she destroyed her own home and poisoned herself, and nobody harmed her but herself with copies of filings. Pure hogwash and contemptible lawfare. |
111 | AEG NOV 30 2022 email in lieu of meet and confer regarding discovery responses to admission demanding plaintiff admit, amongst other things, that she destroyed her own home and poisoned herself, and nobody harmed her but herself with copies of filings. Pure hogwash and contemptible lawfare. |
112 | AEG NOV 30 2022 email in lieu of meet and confer regarding discovery responses to admission demanding plaintiff admit, amongst other things, that she destroyed her own home and poisoned herself, and nobody harmed her but herself with copies of filings. Pure hogwash and contemptible lawfare. |
113 | Plaintiff response to Defense request for TAC answer extension and corrections to defense false allegations and threats that the entire TAC was subject to re-answering by AEG counsel |
114 | Plaintiff response to Defense request for TAC answer extension and corrections to defense false allegations and threats that the entire TAC was subject to re-answering by AEG counsel |
115 | Plaintiff response to Defense request for TAC answer extension and corrections to defense false allegations and threats that the entire TAC was subject to re-answering by AEG counsel |
116 | Visual of Complaint front pages of leaves to amend; note:Â ONLY AEG HAS BEEN HEARD BY COURT TILL DEC 2022 DUE TO EXTREME LAWFARE DISCOVERY ABUSE WITNESS INTIMDATION AND THREATS TO PLAINTIFF FOR REJECTING BAD FAITH SETTLEMENT OFFERS – ALL IN EFFORTS TO CAUSE PLAINTIFF TO HAVE LESS TIME TO SEEK LEGAL COUNSEL AND LITIGATION SUPPORT |
117 | Visual of Complaint front pages of leaves to amend; note:Â ONLY AEG HAS BEEN HEARD BY COURT TILL DEC 2022 DUE TO EXTREME LAWFARE DISCOVERY ABUSE WITNESS INTIMDATION AND THREATS TO PLAINTIFF FOR REJECTING BAD FAITH SETTLEMENT OFFERS – ALL IN EFFORTS TO CAUSE PLAINTIFF TO HAVE LESS TIME TO SEEK LEGAL COUNSEL AND LITIGATION SUPPORT |
118 | Visual of Complaint front pages of leaves to amend; note:Â ONLY AEG HAS BEEN HEARD BY COURT TILL DEC 2022 DUE TO EXTREME LAWFARE DISCOVERY ABUSE WITNESS INTIMDATION AND THREATS TO PLAINTIFF FOR REJECTING BAD FAITH SETTLEMENT OFFERS – ALL IN EFFORTS TO CAUSE PLAINTIFF TO HAVE LESS TIME TO SEEK LEGAL COUNSEL AND LITIGATION SUPPORT |
119 | Visual of Complaint front pages of leaves to amend; note:Â ONLY AEG HAS BEEN HEARD BY COURT TILL DEC 2022 DUE TO EXTREME LAWFARE DISCOVERY ABUSE WITNESS INTIMDATION AND THREATS TO PLAINTIFF FOR REJECTING BAD FAITH SETTLEMENT OFFERS – ALL IN EFFORTS TO CAUSE PLAINTIFF TO HAVE LESS TIME TO SEEK LEGAL COUNSEL AND LITIGATION SUPPORT |
120 | Visual of Complaint front pages of leaves to amend; note:Â ONLY AEG HAS BEEN HEARD BY COURT TILL DEC 2022 DUE TO EXTREME LAWFARE DISCOVERY ABUSE WITNESS INTIMDATION AND THREATS TO PLAINTIFF FOR REJECTING BAD FAITH SETTLEMENT OFFERS – ALL IN EFFORTS TO CAUSE PLAINTIFF TO HAVE LESS TIME TO SEEK LEGAL COUNSEL AND LITIGATION SUPPORT |
121 | Visual of Complaint front pages of leaves to amend; note:Â ONLY AEG HAS BEEN HEARD BY COURT TILL DEC 2022 DUE TO EXTREME LAWFARE DISCOVERY ABUSE WITNESS INTIMDATION AND THREATS TO PLAINTIFF FOR REJECTING BAD FAITH SETTLEMENT OFFERS – ALL IN EFFORTS TO CAUSE PLAINTIFF TO HAVE LESS TIME TO SEEK LEGAL COUNSEL AND LITIGATION SUPPORT |
122 | Visual of Complaint front pages of leaves to amend; note:Â ONLY AEG HAS BEEN HEARD BY COURT TILL DEC 2022 DUE TO EXTREME LAWFARE DISCOVERY ABUSE WITNESS INTIMDATION AND THREATS TO PLAINTIFF FOR REJECTING BAD FAITH SETTLEMENT OFFERS – ALL IN EFFORTS TO CAUSE PLAINTIFF TO HAVE LESS TIME TO SEEK LEGAL COUNSEL AND LITIGATION SUPPORT |
123 | Visual of Complaint front pages of leaves to amend; note:Â ONLY AEG HAS BEEN HEARD BY COURT TILL DEC 2022 DUE TO EXTREME LAWFARE DISCOVERY ABUSE WITNESS INTIMDATION AND THREATS TO PLAINTIFF FOR REJECTING BAD FAITH SETTLEMENT OFFERS – ALL IN EFFORTS TO CAUSE PLAINTIFF TO HAVE LESS TIME TO SEEK LEGAL COUNSEL AND LITIGATION SUPPORT |
124 | Visual of Complaint front pages of leaves to amend; note:Â ONLY AEG HAS BEEN HEARD BY COURT TILL DEC 2022 DUE TO EXTREME LAWFARE DISCOVERY ABUSE WITNESS INTIMDATION AND THREATS TO PLAINTIFF FOR REJECTING BAD FAITH SETTLEMENT OFFERS – ALL IN EFFORTS TO CAUSE PLAINTIFF TO HAVE LESS TIME TO SEEK LEGAL COUNSEL AND LITIGATION SUPPORT |
125 | NOTICE TO AEG OF DEFAULT FOR FAILURE TO RESPOND TO THIRD AMENDED COMPLAINTEÂ Â 9/21/2022 FOLLOWED BY EXPARTE THEATRICS AND DECEPTIONS TO THE COURT, AS A PATTERN OF PRACTICEÂ |
126 | NOTICE TO AEG OF DEFAULT FOR FAILURE TO RESPOND TO THIRD AMENDED COMPLAINTEÂ Â 9/21/2022 FOLLOWED BY EXPARTE THEATRICS AND DECEPTIONS TO THE COURT, AS A PATTERN OF PRACTICEÂ |
127 | NOTICE TO AEG OF DEFAULT FOR FAILURE TO RESPOND TO THIRD AMENDED COMPLAINTEÂ Â 9/21/2022 FOLLOWED BY EXPARTE THEATRICS AND DECEPTIONS TO THE COURT, AS A PATTERN OF PRACTICEÂ |
128 | NOTICE TO AEG OF DEFAULT FOR FAILURE TO RESPOND TO THIRD AMENDED COMPLAINTEÂ Â 9/21/2022 FOLLOWED BY EXPARTE THEATRICS AND DECEPTIONS TO THE COURT, AS A PATTERN OF PRACTICEÂ |
129 | NOTICE TO AEG OF DEFAULT FOR FAILURE TO RESPOND TO THIRD AMENDED COMPLAINTEÂ Â 9/21/2022 FOLLOWED BY EXPARTE THEATRICS AND DECEPTIONS TO THE COURT, AS A PATTERN OF PRACTICEÂ |
130 | NOTICE TO AEG OF DEFAULT FOR FAILURE TO RESPOND TO THIRD AMENDED COMPLAINTEÂ Â 9/21/2022 FOLLOWED BY EXPARTE THEATRICS AND DECEPTIONS TO THE COURT, AS A PATTERN OF PRACTICEÂ |
131 | NOTICE TO AEG OF DEFAULT FOR FAILURE TO RESPOND TO THIRD AMENDED COMPLAINTEÂ Â 9/21/2022 FOLLOWED BY EXPARTE THEATRICS AND DECEPTIONS TO THE COURT, AS A PATTERN OF PRACTICEÂ |
132 | NOTICE TO AEG OF DEFAULT FOR FAILURE TO RESPOND TO THIRD AMENDED COMPLAINTEÂ Â 9/21/2022 FOLLOWED BY EXPARTE THEATRICS AND DECEPTIONS TO THE COURT, AS A PATTERN OF PRACTICEÂ |
133 | NOTICE TO AEG OF DEFAULT FOR FAILURE TO RESPOND TO THIRD AMENDED COMPLAINTEÂ Â 9/21/2022 FOLLOWED BY EXPARTE THEATRICS AND DECEPTIONS TO THE COURT, AS A PATTERN OF PRACTICEÂ |
134 | CONFIRMATION FORM HILLARY BOOTH, AEG DEFENSE COUNSEL, REGARDINGÂ TAC EXTENSION |
135 | EMAIL TO AEG COUNSEL FROM PLAINTIFF REGARDING INTIMIDATION OF ADMISSIONS DEMANDS AND FURTHER DISCOVERY ABUSE PRIOR TO EXPARTE HEARING INTIMIDATION, AFTER FALSE SERVICE FOR SAME HEARINGÂ UNTIL CALLED OUT ON FAILURE TO SERVE BY SERVING TO BLOCKED EMAIL ADDRESS BY DEFENSE COUNSEL; CLEARLY LAWFARE AND BAD FAITH AND BORDERS MORAL TURPITUDE |
136 | EMAIL TO AEG COUNSEL FROM PLAINTIFF REGARDING INTIMIDATION OF ADMISSIONS DEMANDS AND FURTHER DISCOVERY ABUSE PRIOR TO EXPARTE HEARING INTIMIDATION, AFTER FALSE SERVICE FOR SAME HEARINGÂ UNTIL CALLED OUT ON FAILURE TO SERVE BY SERVING TO BLOCKED EMAIL ADDRESS BY DEFENSE COUNSEL; CLEARLY LAWFARE AND BAD FAITH AND BORDERS MORAL TURPITUDE |
137 | EMAIL TO AEG COUNSEL FROM PLAINTIFF REGARDING INTIMIDATION OF ADMISSIONS DEMANDS AND FURTHER DISCOVERY ABUSE PRIOR TO EXPARTE HEARING INTIMIDATION, AFTER FALSE SERVICE FOR SAME HEARINGÂ UNTIL CALLED OUT ON FAILURE TO SERVE BY SERVING TO BLOCKED EMAIL ADDRESS BY DEFENSE COUNSEL; CLEARLY LAWFARE AND BAD FAITH AND BORDERS MORAL TURPITUDE |
138 | EMAIL TO AEG COUNSEL FROM PLAINTIFF REGARDING INTIMIDATION OF ADMISSIONS DEMANDS AND FURTHER DISCOVERY ABUSE PRIOR TO EXPARTE HEARING INTIMIDATION, AFTER FALSE SERVICE FOR SAME HEARINGÂ UNTIL CALLED OUT ON FAILURE TO SERVE BY SERVING TO BLOCKED EMAIL ADDRESS BY DEFENSE COUNSEL; CLEARLY LAWFARE AND BAD FAITH AND BORDERS MORAL TURPITUDE |
139 | PLAINTIFF EMAIL RESPONSE TO DISCOVERY ABUSE |
140 | PLAINTIFF EMAIL RESPONSE TO DISCOVERY ABUSE |
141 | PLAINTIFF EMAIL RESPONSE TO DISCOVERY ABUSE |
142 | PLAINTIFF EMAIL RESPONSE TO DISCOVERY ABUSE |
143 | PLAINTIFF EMAIL RESPONSE TO DISCOVERY ABUSE |
144 | AEG DENIALS OF DISCOVERY ABUSE, BURDENSOMENESS AND HARASSMENT AND PLAINTIFF RESPONSES |
145 | AEG DENIALS OF DISCOVERY ABUSE, BURDENSOMENESS AND HARASSMENT AND PLAINTIFF RESPONSES |
146 | AEG DENIALS OF DISCOVERY ABUSE, BURDENSOMENESS AND HARASSMENT AND PLAINTIFF RESPONSES |
147 | AEG DENIALS OF DISCOVERY ABUSE, BURDENSOMENESS AND HARASSMENT AND PLAINTIFF RESPONSES |
148 | AEG DENIALS OF DISCOVERY ABUSE, BURDENSOMENESS AND HARASSMENT AND PLAINTIFF RESPONSES |
149 | PROOF OF SERVICEÂ Â OF INITIAL DISCOVERY RESPONSE |
150 | PLAINTIFF’S BLOG SITE – GotContractorComplaints.com |
MORE MISCELLANEOUS CORRESPONDENCEÂ
full and complete State Farm 4,000 page pre-litigation DATA DUMP FOLLOWS IN ANOTHER PART
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