Tuesday, January 8, 2013

FedEx Federal Express "Kevin Gray" "Raymond Gssi" Abuse Wrongful Arrests Thief Withheld Evidence from Jury

2 Stone st Inman / Spartanburg county courthouse by FTO (field training officer) Sgt "Raymond Gssi". He took a red laser pointer courtroom tool before defense attorney Stephen Wilson arrived that was used to show the jury where I was during the 2nd of 3 attacks by Lisa Atkins Garner on 3 Sept* 2001.  He did not take pictures of my ribs/ clavicles she broke or take to Emergency Room; Stole the laser. was not returned. Adverse inference proof what Wayne Mayo Federal Express wrote
is lies - 1. I had already started legal
proceedings against all parties mentioned in this
statement. 2. I do not own a gun, I have never owned a gun, and have no plans to ever own one if it is still legal for me to do so. 3. I would get nothing from hurting anyone else. 4. I have No violent history or Criminal background prior to these allegations. My wife does. 5. Mr. Gray has been trying to have me terminated for years. 6. Mr. Mayo got overtime and run my route the
entire time I was on LWOP. I have several years of seniority.
7. Have written and talked w/ Deputy solicitor Derrick B Bulsa
 in detail
months before I allegedly made these statements and had
given statements to the police about Mr. At Lee Garner's crimes.
8. Changed his statement - 3 times. 8 / 23 / 2004 http://garnerrape.blogspot.com/   Mark Kevin Gray
134 w forest Dr
spartanburg, SC 29301

Fedex Guilt by Accusation "Thomas W Mayo" Terminate Get Their Job And Overtime Pay Bonus

Adverse inference proof what "Thomas Wayne Mayo," Federal Express wrote
is lies -  1. I had already started legal
proceedings against all parties mentioned in this
statement.                                                                                                2. I do not own a gun, I have never owned a gun, and have no plans to ever own one if it is still legal for me to do so.                                                                                                      3. I would get nothing from hurting anyone else.                             4. I have No violent history or Criminal background prior to these allegations. My Ex-wife does.                                                          5. Mr. "Kevin Gray" has been trying to have me terminated for years.                                                                                                 6. Mr. Mayo got overtime and run my route the
entire time I was on Leave With Out Pay. I have several years
seniority.  
7. Have written and talked w/ solicitor "Derrick Bulsa"
 my brother in detail
months before I allegedly made these statements and had
given statements to the police about Mr. "Atlee Ashby Garner's crimes.
8. Changed his statement - 3 times  8 / 23 / 2004

Fedex Kevin Gray FEDERAL EXPRESS Lying Psycholopath Thief Thomas Wayne Mayo

CASE:03-42-CP-1048    v. COMPLIANT  Thomas Wayne Mayo, Kevin Mark Gray- FEDERAL EXPRESS)           JURY TRIAL                                      "Michael Saladino"
           )                                                                Defendants 305 John Dodd Rd.       )                                                                            Spartanburg, SC 29303                    )                                                                                        800-967-5080                                  )          
                                          The Plaintiff alleges unto the Court:        FOR A FIRST CAUSE OF ACTION-WRONGFUL TERMINATION                          1. Wrongful termination of Plaintiff based on false information provided to upper management by named defendants in this action- Federal Express. The company responded to fraudulent statements.                                                                                                      FOR A SECOND CAUSE OF ACTION- DEFAMATION                                                              1. Defendant- "Thomas Mayo" made False and misleading statements about Plaintiff’s character and subject matters to "Glenn Sutton" - Station Manager FedEx in an attempt to have Plaintiff, Jason Bulsa, terminated from employment- 3 Oct 2002 approx. 1130 AM.                                                         FOR A THIRD CAUSE OF ACTION- DEFAMATION                                                              1.  Defendant- Kevin Mark Gray- Operations Manager FedEx, made False and misleading statements about Plaintiff’s character and subject matters to Management in an attempt to have him terminated from employment as an act of vengeance for the many complaints filed against this Defendant- 12 Oct 2002 approx. 1300     FOR A FOURTH CAUSE OF ACTION- BREACH OF CORPORATE POLICY                                                            1. Federal Express’s Breach of policies- People’s Manual-  concerning pay pertaining to suspension period while legal issues were being resolved concerning Plaintiff - People's manual pp. 45-46  Breach of Fiduciary policy and section 2-5 Acceptable Conduct, 8-80 Security                                                                                     FOR A  FIFTH CAUSE OF ACTION- DEFAMATION                                                              1. Michael Saladino - Intentional Mental and Emotional cruelty- sending known false information to upper management and further restating to Plaintiff through GFT Process and later a letter that Plaintiff had attacked his wife and threatened a manager "Kevin Gray" after manager, "Kelly Davis" told him during a conference call that Plaintiff did NOT threaten anyone, and Mr. Salidino had been informed months early that Plaintiff was acting in SELF DEFENSE and was found innocent on those charges. Federal Express created grounds to terminate Plaintiff after he was cleared of these charges against him and did NOT voluntarily separate himself by applying for unemployment during (6 Sept 2001- 6 Sept 2002) Plaintiff he was placed on LWOP.                               2. Glenn Sutton - Federal Express station manager; Spartanburg, SC. Stated on 3 October 2001 at approx. 1130 that Wayne Mayo called from Disney distribution center and said,” Plaintiff was going to buy an M-16 and KILL his ex-wife and father-in-law” in an attempt to have Plaintiff terminated from employment AND THEN CHANGED HIS STORY TO “EX-WIFE’S NEW BOYFRIEND AND unknown RAPIST”.             3. Kelly Davis - operations manager - Present at all interrogations sessions between Kevin Gray and Plaintiff about allegations made by Mr. Mayo.  At approx 1400 on 12 Oct. 2002, Mr. Gray alleged to Mr. Salidino that I somehow “injest” threatened Mr. Gray.  Mr. Davis stated in a conference talk w/Sutton, Gray, Settles (HR Manager) and Saladin that I hadn’t at that time or any other threatened Mr. Gray or anyone. Mr. Gray had fabricated this lie in an attempt to have Plaintiff terminated; as retaliation for the multiple complaints filed against him over the six years of employment with Federal Express. 
GREENVILLE)        FOURTH  DISTRICT                                    Bulsa            )                                                    Federal Express Psychiatric Med Manager of the Year "Kevin Gray" Spartanburg v Gray                                          Plaintiff,            )                                    CASE: 7:05-1227-20BI   v.                        )             COMPLIANT                    KEVIN MARK GRAY                   )                      JURY TRIAL                                                              Defendant 305 John Dodd Rd.       )                                                                            Spartanburg, SC             
                                                                                                                                                                     ;; FOR A FIRST CAUSE OF ACTION- DISCRIMINATION                                                 1. Review scores for Plaintiff by Defendant; Kevin Mark Gray vs. all other managers  5-08-1997 4.2    Kevin Gray 5.6     Danny Hayes 2-17-2000 8-16-1999 6.4     Kelly Davis 6.2  8-4-2000 6.5          Kelly Davis   2-07-2001   Kelly Davis 7-12-2001  6.0            Scale of 4.0 - 7.0                     2. At approx 1400 on 10 Oct. 2002 Mr. Gray alleged that I somehow “injest” threatened M Gray, Davis stated in a conference talk w/Sutton, Gray, Settles, and Saladino that I had not at that time threatened anyone. Gray had fabricated this lie in an attempt to have Plaintiff terminated for years as retaliation for the multiple complaints filed against him over the six years of employment with Federal Express at Spartanburg Station.                      3.  Maurice Settles- Station Manager, Federal Express stated, after sixteen complaints against Kevin Gray 13 Oct. 1997 by Plaintiff that Gray would be fired if I had not wanted to bring them to his attention all at once.                                                                                4. Glenda Ponder, CSA, Federal Express. Mr. Gray has intentionally, maliciously done and acted in unprofessional ways in repeated attempts to have me terminated or leave on my own accord from FedEx.                                                                                                                   5. There was a time when Mr. Gray won’t let Plaintiff in a door Plaintiff didn’t have the code to until Plaintiff told Mr. Gray he was going to leave my equip. and go home.         6.  Mr. Gary almost got Plaintiff arrested my sending Plaintiff to the airport with a package and told him to drive it straight to the plane. Plaintiff was questioned and told if it ever happened again- the FBI would arrest him and take my vehicle.                                   7. Plaintiff has a great work record of over 6 years of employment and was continuously mistreated by Mr. Gray.                                                                                                          FOR A SECOND CAUSE OF ACTION- RETALIATION AND DEFAMATION                                                              1. Intentional Mental and Emotional cruelty- sending known false information to upper management and further restating to Plaintiff through GFT Process and later a letter that Plaintiff had threatened a manager Kevin Gray after manager, Kelly Davis told him during a conference call that Plaintiff did NOT threaten anyone. Mr. Gray created grounds to terminate Plaintiff after he was cleared of these charges against him and did NOT voluntarily separate himself by applying for unemployment during (6 Sept. 2001- 6 Sept. 2002). Plaintiff he was placed on Leave Without Pay.                                                                                                         2.  Plaintiff should be told rights to counsel such as a Union Representative Bias, prejudice, a motive to lie.                      3. Evidence Rules- Biased EMPLOYEE OPINION WERE BELIEVED OVER THAT OF TRAINED, LICENSED EXPERTS; MOTIVE TO FABRICATE LIES ABOUT PLAINTIFF.                     4. ALL interviews should have been taped and conducted by Corporate Security, local police detectives or some other NON-biased parties.               5. REFERENCE; Police Rights by Charles Friend*  comparing Assault to a Threatening statement- a. Must have contact with alleged victims with intent to harm- LACKING if any.                                                                                                                                      B. Contact MUST BE UNLAWFUL.                                                                                   C. Words alone are not enough to constitute an assault.                                                           D. An ambiguous gesture (in jest) (THREAT) which might otherwise in itself constitute assault is rendered HARMLESS by accompanying statements which CLEARLY indicate that no (threat) is intended.                                                                                                   E. A person making a threat MUST HAVE APPARENT ability to complete the (threat). Plaintiff would have to “buy “a gun does have or NEVER had one.                                                                                                         1. I do not own a gun, I have never owned a gun, and have no plans to ever own one.                                                                                                     2. I would gain nothing from hurting anyone else.                                                                3. I have no violent history or Criminal background prior to these allegations. My Ex-wife does.                                                                                                                               4. Mr. Gray benefited from these allegations by my termination.                                                         5. Mr. Gray has been trying to have me fired for years.                                                      6. Plaintiff had given statements to the police about Mr. Garner's crimes.                             7. Federal Express took the word Mr. Gray over mine and Mr. Davis because they were trying to fire me.           8. I had voluntarily undergone psychiatric evaluations paid for by the Plaintiff.           10.  Page 7-23, 24 of the first set of interrogatories from Defendants prove Mr. Gray lied.                                                                          
          
WITNESSES                                             1. A.  The “witnesses” were neutral parties.               B. Kelly Davis - operations manager, Present at all four interrogations sessions between himself, Kevin Gray and Plaintiff about False allegations made by Mayo.  At approx 1400 on 12 Oct. 2002 Mr. Gray alleged to Salidino that I somehow “injest” threatened Gray, Davis stated in a conference talk w/Sutton, Gray, Settles (HR Manager) and Saladino that I hadn’t at that time or any other Gray or anyone. Gray had fabricated this lie in an attempt to have Plaintiff terminated- he has had for years as retaliation for the multiple complaints filed against him and him alone over the six years of employment with Federal Express.                                                                                C. Julie Jackson, Keith Williams, Andray Smith-Couriers. Lt. Mark Barry Spartanburg Police Dr. Rebecca Fricker, Psychiatrist National Victim's of Crime Center, Medical University of SC 171 Ashley Ave. Charleston, SC 29425.                                                                                                List of Evidential Support and Memorandum- From Plaintiff’s Employee File                                                                  2-10 Suspension letter 9/11/2001               3-39  MRO consult 10/2/2001               3-41 Psychiatrist’s notes 11/26/01 and 12/10/01             3-55 Termination letter for  “possible” violation of one of two Acceptable policies listed above 10/14/02                 3-62 Medical report 9/27/01                 3-71 Psychiatric history at bottom of page           3-116 Psych. Report 11/20/2001                  3-132  Mental Health records 10/30/01              3-140 TLA?? with K. Gray 8/15/?                 3-146 Counseling K. Gray??                   3-151 Action Plan 4/25/1997 w/ Gray     3-182 Outstanding Performance letter 12/16/98    3-185 Follow up to 18 complaints by Plaintiff against Kevin Gray 10/13/1997 3-187 Outstanding letter 11/03/97       3-305 and 307  Counseling notes of Gray     3-310 Safe Driving Award 4/25/00       4-5 and 4-6 EEOC compliant        7-2,3  Summary of “statements”  “VIEWED” AS THREATS. 11/27/2002  7-5,6 GFTP Complaints 10/14/02       7-38 GFT 11/20/2002         7-57  Counseling- Gray  8/01/2001       7-63  Suspension w/ pay, “a possible violation” 10/3/02    7-67   “Remark in jest” letter 10/31/2002      8-1 Cancellation of health care 4/30/03 none provided 9/6/2001- 9/30/2002                                                                                                               SCESC Decision 3/12/03- regarding unemployment benefits 9/6/2001- 9/06/2002       THEREFORE, the Plaintiff prays as follows for temporary and permanent relief: MEMORANDUM OF COSTS  FedEx as of 9 June 2005                                          1. Actual expenses-incidental damages; incurred as of 9 Feb 2004= 50 hours legal research                                                                                                                       2. requested copies-34 pages- $3.40                                                                                        3. service costs$0.37x 8=3.56+ 2.29= $.85                                                                                          4. certified complaint letter $4.45                                                                                            5. Doctor's care (records)-$18.50                                                                                               6.  mental health-$6.00                                                 7. 3 years lost wages and benefits= $150,000.00                                                                  8Doctor's care visit 27 Sept 01-$35                               9 Psych records- $18.50               10. Dr. Paul Gunter letter- $25                                                                                                 11 Dr. Gunter counseling fees-$283                                12. Psychiatrist Dr. Page-$ 283.50                                             13. Arnold and Arnold  Law Firm W. Andrew Arnold PA  Discrimination Specialist 712 E. Washington St. Greenville, SC 29601 864.242.4800  $200 consultation fee                                                                                                                         14. Other wages and job connected losses, benefits, court-related fees.                                                                15. Punitive Damages in the amount of $100,000.00 for mental and emotional trauma, additional legal costs, loss of employment and income, damage to the character, daily mental anguish- actions aggravated existing injuries caused by first false allegations. Emotional Distress- grief, shame, humiliation, embarrassment, worry, shock, depression, anxiety. Years of demeaning treatment by Mr. Gray actions aggravated existing injuries caused by false allegations: Emotional Distress- grief, shame, humiliation, embarrassment, worry,  shock, depression, anxiety, irreparable harm to Plaintiff’s entire life in society especially- work future, additional legal costs, daily  mental anguish, and private life, harassment through intrusion into Plaintiff’s solitude                                                 16. Other wages and job connected losses, benefits.                                                  17. Daily mental anguish- actions aggravated existing injuries caused by first false allegations.                                                                                                              18. Emotional Distress- grief, shame, humiliation, embarrassment, worry, shock, depression, anxiety. Years of demeaning treatment by Mr. Gray actions aggravated existing injuries caused by false allegations: Irreparable harm to Plaintiff’s entire life in society especially- work future, additional legal costs, daily mental anguish, and private life, harassment through the intrusion into Plaintiff’s solitude, and private life.                                                                         19. Other wages and job connected losses, benefits.                         20. Injunction relief - change policy to have independent investigators conduct ALL interviews while taped with counsel for (accused) while being questioned.                                21. For such other and further relief as the Court may deem just and proper.    6-9-2005    Spartanburg, SC   http://garnerrape.blogspot.com/ 

Monday, January 7, 2013

Spartanburg Police Rape Gang Beaten Arrested Prosecuted STALKED by Detective "Marc Finley"

Raped Beaten Arrested Robber Prosecuted 6 times drunk, high by Lisa Atkins / Garner, Spartanburg County Police with 8 broken bones by 3 Now Terminated Spartanburg County Police / J Carter, Guy Wilson, FTO Sergeant Raymond Gssi. Derrick Bulsa, Prosecutor "he needs to go through the system like anybody else." Guy Wilson went back and played, "rape flashback 911 calls her Father. www.GarnerRape.blogspot.com www.VictimArrested.Blogspot.com — in Inman, South CarolinaResponse   C.A.No. 03-CP-42-1049                                                Marlene Evans, Kristen Prutsman  (Died cancer)                                                
             REPLY TO FIRST DEFENSE  Clarification of Claim                                                                                                                                       1-5  Plaintiff contacted Defendant Kristen Prutsman by way of telephone on 27 Sept. 2001 stating he would like to become a client by going in for counseling after being wrongfully charged with Criminal Domestic Violence when his now Adulterous ex-wife Lisa Annette Atkins - Garner attacked him for the second time - 3 Sept. 2001 case # 010900190;  1st incident report 0804-228-93, 17 Aug 1993. Mrs. Garner admitted to destroying the Plaintiff’s property during the first assault but lied about attacking the Plaintiff in front of her parents Ellen Atkins under oath on 3 April 2003. Plaintiff was seeing Dr. Paul Gunter but could not after insurance was canceled because LWOP Leave With Out Pay from his employer- Federal Express.                                                           At that time, Ms. Prutsman agreed to see Mr. Bulsa as a client; Loyalty to Any person receiving her counsel is implied through her chosen profession- Rule 9 (a) (b) (c) - Capacity as Counselor, Mistake, Condition of Mind, Conditions Precedent- Plaintiff came every time with his mother.  Plaintiff went to shelter for counseling several times with Ms. Prutsman between 27 Sept.2001 and 8 Nov. 2001; the time Ms. Prutsman called Detective Mar* Finley (Incident report #011100486) to have Mr. Bulsa arrested because he mentioned to Ms. Prutsman and that he had hired a private investigator (Mr. Michael Murphy - Spartan Detective) to prove Adultery of his ex-wife - Mrs. Garner. Along with 10 Sexually explicit emails between Mrs. Atkins and "AtLee Garner" 
 Case #2001-DR-42-3734)  Mrs. Garner was seeking Alimony. Defendants assumed Plaintiff was trying to obtain his (wife’s) whereabouts from Mr. Murphy.  There are many other ways of finding this information for little cost and would have not cost but $25 not $900 Plaintiff paid to PI, over two months after the alleged assault by the Plaintiff.                                                                               Ms. Prutsman told Plaintiff he was in violation of protective order and was Stalking Mrs. Garner. Plaintiff was arrested and charged with these two alleged crimes. Plaintiff actions in NO WAY were threatening. He was making an attempt to gain acceptance to be placed in a support group mentioned in Donna Kelly’s statement (employee of shelter).                                                                             REPLY TO SECOND DEFENSE                                                 6 - 10 - Defendants were not acting within their scope of employment. Had Plaintiff been told to do to leave due to his gender; that Ms. Prutsman would no longer counsel him. Ms. Prutsman may have acted in a manner a “Reasonable Person” and still wouldn’t have acted like a mental health professional and should be removed from a position as well as her supervisor, Marlene Evans.                                                                                                 8. The shelter needs to define- client since they are working in a publicly funded institution to help all people. Plaintiff was a client when he was first seen by Ms. Prutsman had what was told by the Solicitor’s office Case #2001-DR-42-2944 was a mutual Order of Protection on 11 September 2001 issued http://www.garnerrape.blogspot.com 
134 w forest Dr
spartanburg, SC 29301

16 Lies Male Victim Prosecuted 6 times. Spartanburg Report #10000303 by "Elizabeth Faye McKinney"

Lies. City of Spartanburg Report # 10000303 by Elizabeth Faye McKinney. The alleged victim never showed for court and was sued by real male victim.  Atlee Ashby Garner  Spartanburg  South Carolina                                                                                                                   Sentence 2. only knocked on the door and have never harassed Ms. Hendrix. I was only there b/c I was worried about her daughter that was supposed to be at my house over 4 hours earlier.                                      Sentence 3. I was there that morning and afternoon invited. I sleep in Ms. Hendrix's bed w/ her daughter used the phone and had talked with her daughter at several times that evening around 7 pm.                                                                                                 Sentence 4. If I had been following her daughter for hours why would I be looking for her? At apt? Anywhere?  She knows my truck b/c she had driven it for over a week and broke the windshield when she punched me on the 9/19.                                 Sentence 5- I left Ezell's on my own; I was never told to leave by anyone.             Sentence 6- Ms. Kinney HAS NEVER ATTENDED my church since I met her on 7/3.                                                     Sentence 7- Ms. McKinney has had Intercourse with me several times including the morning of 9/30. She has talked to OB / Gyn Dr. Carol Kitchens about it and I have several love letters from her.                                 Sentence 8- I have never made unannounced visits to her apt. When?  If I had why her or her mother didn't call the police then? They call them all the time.             Sentence 9- What was she doing out at 0300? How long had she been there? At Ezell's? Playing pool?  W/me supposedly following her?                          Sentence 10- She and her mother went and talked w/ Ms. Sellars Monday 9/22 after she punched me on the 9/19 and came up with this lie out of the money they owe me and damage to my vehicle and my face..                                Sentence 11 - If forced against her will- she would have resisted. How did she resist?  There would have been marks. There would have been some type of struggle if I was trying to control her.  She was in the bed with me that same day. I didn't have to force her to do that. Why would I have to force her to just kiss me?  And risk getting punched again?                                             Sentence 12 - Ms. McKinney didn't ask me anything.                  I left on my own.                                 Sentence 13 - I never kissed her against her will- First, second or anytime time. Why would she fear for her safety? I would have taken the risk of getting punched again.                    Sentence 14 - I have not seen her statements.                                   Sentence 15 - No one witnessed any of these b/c nothing happened.                 Sentence 15 - 16. there were no documented cases of Mr. Garner harassing Ms. Kinney because he never has. She and her mother are lying because she punched me and owes money for loans and for repairs to Mr. Garner's vehicle. If I had done any of these things why didn't they call the police before sooner? They call the police All the Time on their neighbors. Ms. McKinney talked to my ex-wife over a month before this and knew about the lies she told similar to these she told here. Report #10000403    http://www.sexmisconduct.blogspot.com/