I have filed a lawsuit in Miami-Dade District Court in Florida seeking "injunctive relief" regarding the deplorable copyright theft and invasive, harassing conduct of singer Madonna and her cult, the Kabbalah Center, as well as a few of the sick sect's members, such as Jay Z, Beyonce Knowles, Rihanna, Rita Ora and Jessie J. A copy of the case is included below this article.
Jay Z’s thieving companies, such as Roc Nation, Roc Nation Management, Roc Nation Sports, Roc Nation Boxing are also named as defendants in the lawsuit. Madonna is currently dodging service in the case, as are her co-owners of the Kabbalah Center, namely Michael Berg, Yehuda Berg and Karen Berg. Some of the hacking was done through Madonna's hacker Randy Vaughn, who works for U.S. government contractor Fluor (he emailed me a death threat under a fake name and I used the court system to trace him).
My copyrighted catalog that I authored over the course of 25 plus years contains over 15,000 songs, 1000 movie scripts, movie treatments and short stories, 30 book manuscripts, 300 music video treatments, 500 photographs, 100 photo treatments, perfume, clothing lines, nano-technology, a solar cell phone, car line and thousands of other items.
The case was filed on March 6, 2015. I really did not want to go public with the case, but I am sick of the vile conduct of the cult that continues to grow worse. It is my hope that public awareness of their terrible conduct will lead to an end of the misconduct. This went well beyond copyright infringement into something quite sick - aggravated stalking, harassment, assault and perverse invasion of privacy. It has greatly disrupted and damaged my life in terrible ways.
Every week that cult is engaging in some form of criminal stalking, harassment and or corporate theft against me. From Madonna's attempts at deceitfully trying to get me on a Top 40 radio show about her to the chronic stalking and confrontations from members of her Kabbalah cult, the unwanted contact has been unrelenting and disgusting. I cannot step out of my home in Miami without them dispatching some lunatic from the Kabbalah Center in Miami's Eastern Shores to follow me everywhere, menacingly approaching me and issuing some threat or harassing statements. At times they have gotten violent with me and other times tried to (and sometimes succeeded) in sexually assaulting me in broad daylight. I am a peaceful, non-violent, docile person. I have never started a fight in my life. The Kabbalah Center is exploiting this in criminal ways. If I was the violent, vicious type, they wouldn't be doing this.
I have received no credit or payment for my preexisting copyrights they have stolen. It wasn't a misunderstand or oversight. It was outright, willful theft of copyrights. They were never given permission to use any of my copyrights I authored solely for my company. These acts of corporate theft, copyright infringement and the accompanying mean-spirited human rights abuses are the equivalent of modern day slavery. I have even been called a slave by them as well, in what is patently offensive conduct. They are criminally stealing and exploiting my copyrights to terrible extremes, spreading it all over Hollywood, for undue financial enrichment and awards. It's clear that slavery never left America, just took on another form (despite what President Lincoln decreed in trying to abolish it).
I have nothing to do with Madonna and company, yet they refuse to stop targeting me, even going so far as to move people into the Miami guard gated community I live (that I am about to leave). Over 1,000 people live in this guard gated community and most of us don’t know each other. Yet said members of the Kabbalah Center, who stated the cult is paying for their upkeep in living in here, managed to find me and my family in the gated community and make unwanted contact, spewing the cult's insane crap. Imagine that, of all the hundreds of gated communities in Miami and all of the 1,000 plus people who live in this one, the Kabbalah Center managed to move people into this one who found and made contact with me. That's called criminal stalking.
This cult keeps trying to push their way into my life when I don’t want anything to do with them. If they are not knocking on my door under false pretenses, they are crank calling my mobile phone. They constantly hack my computers, smart TV and mobile phones. They have perversely turned on the audio and video (camera) in my laptops and mobile phone to spy on me in my very home, which is sick and abominable.
This went on for a bit before I caught on to what they were doing. I figured it out when Madonna started sending members of the Kabbalah Center to make strange statements about her, relay threats from her and tell me exactly what is going on in my home. While nothing inappropriate goes on in my home, what kind of dirty, perverted people spy on people in their home. This is the low ebb human rights have fallen to and it is disgusting. They should be ashamed of themselves, as this is the nastiest thing I have ever seen. They are the sickest people in existence. They are horrible human beings.
Attack On My Mother
My mom has lawfully lived and worked in America for 40-years, at times working 2-3 honest jobs and paying her taxes. She is the hardest working person I know. She doesn’t bother anyone and has lived a quiet, decent life. She is kind to many people and many love her as a great, reliable friend. Yet nasty, foul old Madonna and company, sent a deranged Kabbalah Center member to stalk, harass and try to assault my innocent, defenseless elderly mother who walks with a cane, while she was at a Chase Bank (a massive U.S. national bank).
He followed my mother to the restroom (toilet) and began shoving her into the restroom to assault her. She screamed for help and the Chase bank staff came to her rescue. This caused the Kabbalah Center member to run out of the bank, so as not to get arrested. We have been stalked by this same particular Kabbalah Center member on three occasion at disparate locations. I snapped photos of him twice for future evidence, using my mobile phone. He is one of several Kabbalah Center members they have stalking and approaching us.
There is no excuse for this insidious evil. It is ugly, hateful, nasty, mean spirited and evil. What kind of animals do something like that. The mere fact they commissioned an attack on an innocent old lady should tell you the kind of evil running through their veins. According to many psychiatrists and psychologists, it is complete stalker behavior to target the family members and friends of the victim a stalker targets. It is a known, well documented mental defect of dangerous, psychopathic stalkers to begin targeting the family members of the victim they become obsessed with and stalk. They are unequivocally the most evil people in existence.
Madonna and her co-defendants in the case are steeped in the occult. They brag in their music, videos and interviews about Satanism. They are evil and that is the root of the problem in this case.
Madonna's Deranged Interference In My Life
Madonna has also been doing her level best to try to destroy my personal and business relationships with people that have nothing to do with her. Madonna has sent members of the Kabbalah Center to approach my family and friends asking them to harm me and my mother. When men pay too much attention to me Madonna gets angry and sends members of the Kabbalah Center to approach me when I go out and threaten me over it. I have been threatened that I am not to date, marry or reproduce.
Members of the Miami branch of the Kabbalah Center she repeatedly keeps sending to stalk and approach me in public, also keep telling me I should romantically like Madonna when I can't stand her. I'd rather die than be anywhere near her. I am not and have never been gay, not even one day in my life, so you can stop trying to force that on me. If I were gay, I'd have standards - Halle Berry or Megan Fox - not Madonna, who to me is the equivalent of Gollum/Smigel. But once again, I am not gay. I have never liked or been attracted to women. I like kind, decent men.
Madonna has gotten angry over basic things such as me being on Twitter and interacting with people, particularly men. She has sent members of the Kabbalah Center up to me in public to harass me over Twitter of all things. I’m on Twitter posting my site article links as most writers and bloggers do, as well as encouraging people in their lives and careers, while trying to make them laugh. I am a friendly person and I try to help people all the time. This is who I've always been. Yet insane Madonna has taken my tweets on Twitter so seriously.
Word got back to me from a very reliable source responsible for some of my site exclusives that Madonna has been contacting certain famous men I interacted with on Twitter and harassed them over me. She is very jealous of one of them in particular, an athlete in his mid-20s, who doesn't give a darn about her and neither do I. How she found her crazy way into the equation, in what was decent, above board conversations about sports that my whole timeline saw, is beyond me. She had no right to harass him or anyone else.
First of all, I've stated nothing inappropriate on Twitter. Secondly, I do not intimately know any of the men I have publicly interacted with on Twitter and vice versa. I'm being nice to people and there's nothing wrong with that. The tweets are all jokes and at other times to encourage others in their lives and careers when they are down, which many people on Twitter do (send others well wishes). Yet that awful, nosy, meddlesome madwoman Madonna did this, in what is crazy, stalker behavior.
Attempted Vehicular Assault
One three separate occasions, members of the Kabbalah Center have tried to run over me with their vehicles in places such as a Walgreen's pharmacy parking lot in North Miami Beach and on a sidewalk across from the Chase Bank (also in North Miami Beach) where my mother was attacked (but I got out of the way before they could hit me).
After I went public with what happened regarding the attempted vehicular assault, writing about it in an article on the Judiciary Report, it was revealed in the criminal trial of Madonna's private investigator, Italian mafia member Anthony Pellicano, that one of his harassment tactics on behalf of stars in Hollywood is not only wiretapping, computer hacking and identity theft, but trying to run over the person with a vehicle (Pellicano and his thugs succeeded on a few occasions regarding deliberately hitting others stars paid him to target, landing people in the hospital with broken bones and other serious injuries). They are a bunch of savages and barbarians. This was done when Pellicano invaded the privacy of a person a Hollywood star paid him $100,000 to target, but failed to find any dirt on them to extort or blackmail them with.
Madonna's original misconduct was reported to the FBI and they interviewed me twice at their Miami office. Four months after the FBI interviewed me, they used the information I provided them with to arrest and convict Madonna/Kabbalah Center’s private investigator, Anthony Pellicano, for the very things I accused them of - hacking, wiretapping, identity theft and racketeering. He is currently in prison. However, I have it on good authority, via an unimpeachable source responsible for some of my site exclusives that Madonna issued a bribe at the FBI to avoid imprisonment in the case.
Since that time, the FBI has been disgracefully helping Madonna steal my copyrights she has been criminally spreading all over Hollywood. The FBI is even illegally using U.S. taxpayer money to contact my family, friends and business associates in trying to obtain unlawful help with this thoroughly criminal endeavor in stealing my copyrighted catalog. Madonna is criminally selling people in Hollywood many items from my copyrighted catalog at cut rate prices, though she does not own it and they know it is not her intellectual property. The money from the illegal sales of items from my copyrighted catalog is being criminally stored offshore in the Cayman Islands, among other places.
The FBI, who has no jurisdiction or Congressional mandate in the international community, used the CIA to contact a physically unwell relative of mine, among others, trying to rope her into their detestable conduct, revealing they need help with me in trying to get my copyrights for Hollywood’s illegal use. They terrified my relative, in what is an egregious, illegal abuse and misuse of American taxpayer money. They illegally asked another relative for help under false pretenses as well. All in the name of stealing.
Hollywood's work ethic is extremely poor. They refuse to honestly work and see copyright infringement as an easy paycheck and way of life. They are sued on a regular basis by many people for criminally stealing copyrights. 90% of what Hollywood puts out doesn't even belong to it, stolen from other people's PREEXISTING copyrighted music, books, films and TV shows. That's pathetic...and grand theft larceny. Hollywood is an industry of thieves.
I was also informed Hollywood became angry that I started an entertainment company in Miami, slamming me as an immigrant whose company would "take bread off our tables." As such, I do not recommend anyone dealing with Hollywood or starting an entertainment company in America. You will be robbed and slurred. Hollywood will try to have you killed and steal your copyrighted assets (and anything else they can get their hands on). Starting an entertainment company in America is not worth your life.
I have broken stories on the FBI and NSA via my websites (NSA Workers Admit To Reading The Emails And Listening To The Calls Of Americans In Violation Of The Law and Judge Rules The NSA Illegally Spied On Americans Confirming The Site's Previous Claims (Video) and NSA Admits Employees Illegally Spied On Love Interests And Significant Others Confirming Site’s Previous Claims).
In said articles I revealed much of the spying the US government is doing in America (and the world) is not for national security, but political power and to steal intellectual property for big American corporations. Years after I published those exclusives to my website, Edward Snowden released documents in a worldwide scandal that confirmed the illegal NSA spying I had previously written about on my websites.
Snowden also stated the same thing I did in my previous articles, that the illegal government spying is a violation of the constitution, done for power and to steal (The Judiciary Report's May 20, 2009 article "Spying To Steal"). On January 27, 2014 U.S. News ran an article confirming it entitled "Edward Snowden: NSA Conducts Economic Spying" (if that link does not work click here).
I forwarded this case I filed in Miami District Court to both houses of the U.S. Congress in March right after I filed the lawsuit, which cites human rights abuses and criminal conduct against Jamaicans (me, my family and friends) which constitutes hate crimes. Ironically, weeks after I filed the lawsuit, for the first time in 30-years a U.S. president went to Jamaica on an official visit. I found it ironic, as the terrible, violent human rights abuses against Jamaicans in America in this case have been transpiring under President Obama’s watch, in acts committed by his friends and donors in Hollywood, which the White House has been fully apprized of for quite sometime.
Obama, pictured in the Bob Marley museum, visited Jamaica weeks after the lawsuit was filed, on the very day I was supposed to go home to the island, but didn't due to a death in the family in Miami and having to help a relative because of it. Ironically, several weeks after Obama's visit, his administration falsely accused the Jamaican government of spying on Jamaicans and had to make a retraction when it was proven false (never mind the Obama Administration has been illegally spying on select, law abiding Jamaicans in Jamaica via wiretapping and hacking, with no domestic or international legal mandate to do so).
Every branch of the U.S. government, the White House and many federal and state agencies, such as the FBI, DOJ and NSA, among others, read my websites on a regular basis, due to the many exclusives that have later proven 100% true and correct. Site statistics for my websites, as provided by the hosting company, revealed the aforementioned U.S. government entities and agencies are regular site readers. Yet allow these terrible human rights abuses to transpire, in support of the undue enrichment of their friends in Hollywood, who are big financial donors. How corrupt. How can the government lecture people about human rights, yet do something so evil.
The worst part of it all is I have been diligently working on my very promising, forthcoming pharmaceutical patents regarding cancer and AIDS, using the limited resources I have, while these people repeatedly criminally rob me of my copyrights, for undue financial enrichment and very lavish living. These patents have been my main focus and I'd put my music career on the back burner to work on them (however, I will be releasing some new music material shortly, as I have gotten to a good place with my forthcoming pharmaceutical patents).
Madonna and company have engaged in fraud in other acts concerning me, such as stealing $225,000 in real estate equity from a property I owned, fearing I would sell it and use the money to put out the patents to help sick people, as well as my copyrights, bringing a halt to their copyright infringement and destroying their illegal money train that is based in theft.
Madonna also engaged in commissioned criminal misconduct in trying to sabotage and destroy another business I have outside of the entertainment industry. The company has absolutely nothing to do with her, yet she is trying to destroy it in attempting to block revenues, for fear I will use it to put out the patents designed to save sick people and prolong their lives. They'd rather sick people die so they in Hollywood can steal and get richer (and with the FBI's help and approval). What kind of savages and animals do something so evil. Mark my words, world history is going to judge them for it in a horrible way. They're not going to get away with anything.
A PARTIAL LIST OF THE COPYRIGHT INFRINGEMENT REGARDING ITEMS STOLEN FROM MY PREEXISTING COPYRIGHTED CATALOG THAT WERE ILLEGALLY USED TO MAKE THE FOLLOWING:
"American Life" "Hey You" "History" "Incredible" songs (among others) by Madonna
Songs from “Confessions On A Dance Floor” and "Rebel Heart" CDs by Madonna
"Sorry" "Hung Up" music videos (among others) by Madonna
Madonna's "English Roses" and "Material Girls" clothing line (Macys)
The songs "Welcome To Hollywood" "Single Ladies" "Daddy" "Greenlight" "Upgrade U" "Diva" "Amor Gitano" "Worldwide Woman" "Black Culture" (among other songs) by Beyonce
The music videos "Suga Mama" "Flaws And All" "Still In Love" "Beautiful Liar" and "Greenlight" (among other videos) by Beyonce
"Holy Grail" "Empire State Of Mind" "Picasso Baby" "Party Life" "American Dreamin" "Already Home" "So Ambitious" (among other songs) by Jay Z
“Shine Ya Light” “Radioactive” “Fall In Love“ “Grateful“ “I Will Never Let You Down” “Lover Of The Light” (among other songs) by Jay-Z's Roc Nation artist Rita Ora
"Umbrella" "A Million Miles Away" "Don't Stop The Music" "Diamonds" "Russian Roulette" "Rockstar 101" "Rude Boy" "Only Girl" "Man Down" "We Found Love" "Coulda Been The One" "Live Your Life" "Love The Way You Lie (featuring Eminem)" (among other songs) by Jay-Z's artist Rihanna
“Guilty Conscience” by Eminem
“Southpaw” movie (50 Cent)
50 Cent’s “In Da Club” video
Numerous songs on albums by Sony’s “American Idol” artists (signed by Simon Cowell and Simon Fuller) such as Carrie Underwood, Kelly Clarkson and Daughtry, who share the same intellectual property lawyer as Madonna at Mannatt and Phelps, administering rights to the Warner Bros (Madonna) and Sony music catalogs (Madonna also made an appearance on the show “American Idol”). Cowell has also been infringing my preexisting copyrights for his recording artists JLS, Alexandra Burke and Little Mix, among others.
"From Justin To Kelly" movie (Simon Cowell and Simon Fuller)
"It's Not About The Money" "Price Tag" "Casualty Of Love" "“Mama Knows Best" "Stand Up" "Conquer The World" "Bang Bang" "Silver Lining" "Technology" (among others) by Sony alleged songwriter Jessie J
"Fight For This Love" and several other songs Simon Cowell's co-star Cheryl Cole
"Rock N Rolla" "Sherlock" "Revolver" by Madonna's ex-husband Guy Ritchie
Britney Spears "Womanizer" "My Sister" "Piece Of Me" "Radar" "Outta This World" "She'll Never Be Me" "State Of Grace" (among others)
"Don't Stop (Funkin 4 For Jamaica)" "Thirsty" "Angels Cry" "Obsessed" "Inseparable" "More Than Just Friends" "Heavenly" "The One" "Fly Like A Bird" songs by Mariah Carey
"Paparazzi" and "Bad Romance" songs by Lady Gaga
“Can I Live” by Nick Cannon
“Empire” TV show
“Scandal” TV show
“Blackish” TV show
"Hit The Floor" TV show
"Smash" TV show
Taylor Swift’s “Shake It Off” music video
"Big Girls Don't Cry" by Fergie
"Firework" "The One That Got Away" and "Hot N Cold" (among other songs) by Katy Perry
"That's My Jam" song by Kim Kardashian
"Bossy" by Lindsay Lohan
"Dandelion" by Nicole Richie
Lyrics to "Blurred Lines" by Robin Thicke produced by Madonna's producer Pharrell Williams
"Olympus Has Fallen" movie
Synopsis for “Transformers 2” movie
"Hancock" movie by Will Smith
"The Watch" movie
"Percy Jackson And The Olympians" movie
"Princess Diaries 2" movie
"Prince And Me" movies
"Sam’s Lake" movie
"Material Girls" movie
"Valentine’s Day" movie
"New Years Eve" movie
"American Dreamz" movie
"The Last Airbender" movie
"Music And Lyrics" movie
"Obsessed" movie (Beyonce and Idris Elba)
"Takers" movie (Idris Elba)
"No Good Deed" movie (Idris Elba)
"San Andreas" movie (the Rock)
"Hercules" movie (the Rock)
"Reno 911!: Miami" movie (the Rock)
"Think Like A Man Too" movie
"Good Deeds" movie
"Next" movie (Nicholas Cage)
"National Treasure: Book Of Secrets" movie (Nicholas Cage)
"Knowing" movie (Nicholas Cage)
"Spy Kids 3" movie
"Good Luck Chuck" movie
"My Sister’s Keeper" movie
"Bad Judge" sitcom
"Blue Bloods" TV show
"Limitless" TV show
"Jane The Virgin" TV show
"Born Again" TV show
"Stalkers" TV show
"Mob Wives" reality show
"Couples Retreat" movie
"Camp Rock" movie
"Blond Ambition" movie
"Tonight He Comes" movie
"Maze Runner" movie
“Orange County Girl” and "Hollaback Girl" by Madonna’s cousin Gwen Stefani
“Stars Are Blind” music video by Madonna's fellow Kaballah Center member and Warner Bros artist Paris Hilton
“Where Is Your Dignity” “Burned” and “Happy” by Hillary Duff, who starred in Madonna’s infringing film she stole from my catalog and renamed “Material Girls”
"My Super Ex-Girlfriend" movie
“All About Adam” movie
"Primeval" "Death In Paradise" "Tatau" "Survivors" "Luther" "Outcasts" and "Sherlock" TV shows on the BBC (DVDs by the BBC are distributed by Warner Bros Pictures under an ongoing contract. Warner Bros
Pictures is the company Madonna and ex-husband Guy Ritchie have contracts with)
Select "Doctor Who" TV show episodes "The Waters Of Mars" "The Eleventh Hour" "The Hungry Earth" "The Sontaran Stratagem" "The Stolen Earth" "Smith And Jones" and "The Poison Sky" (among other episodes) on the BBC
Select "Torchwood" TV show episodes such as "The Children Of Earth" on the BBC
Select items from Jessica Simpson's line (Macys)
A backdrop from Madonna's Re-invention world tour
A backdrop from Madonna's Confessions world tour
IN THE CIRCUIT COURT OF THE 11TH JUDICIAL CIRCUIT IN AND FOR
DADE COUNTY, FLORIDA
CASE NUMBER: 15-05345 CA 30
DADE COUNTY, FLORIDA
CASE NUMBER: 15-05345 CA 30
MADONNA CICCONE p/k/a MADONNA,
ROBYN FENTY p/k/a RIHANNA,
SHAWN CARTER p/k/a JAY-Z,
BEYONCE KNOWLES p/k/a BEYONCE,
JESSICA CORNISH p/k/a JESSIE J,
ROC NATION LLC,
ROC NATION MANAGEMENT, LLC,
ROC NATION RECORDS, LLC,
ROC NATION SPORTS, LLC,
ROC NATION SPORTS - ROC NATION BOXING, LLC,
KABBALAH CENTRES OF THE UNITED STATES, INC.
COMPLAINT AND JURY DEMAND
1. Aisha Goodison (hereinafter “Plaintiff“) files this complaint in good faith and alleges as follows, regarding the above-captioned Defendants, who have been engaging in a willful, malicious and sustained campaign of extensive human rights abuses, in commissioned acts of harassment (under false pretenses tried to drag Plaintiff onto a radio show listened to by millions of people in harassing her), stalking (sent thugs to Plaintiff’s private residence) assault, sexual assault, invasion of privacy (commissioned computer, email and webcam hacking), financial fraud and replevin, with the intent of harming and injuring the Plaintiff, bringing the Defendants ill-gotten financial gain and undue enrichment.
2. Plaintiff is a singer, songwriter, producer, director, author, photographer, blogger and inventor.
3. Plaintiff is the sole owner and author of a very valuable, vast Copyrighted Catalog worth billions of dollars, as it contains over 15,000 songs, 1000 movie scripts, movie treatments and short stories, 30 book manuscripts, 300 music video treatments, 500 photographs, 100 photo treatments, perfume, clothing lines, nano-technology, a solar cell phone, car line and thousands of other items.
4. Plaintiff has also authored forthcoming patents that are pharmaceutical drugs.
5. Plaintiff‘s domestically and internationally protected copyrighted works are based in entertainment, sports, technology and science.
6. Plaintiff is the owner, author and operator of several prominent websites read by millions of people worldwide, the most popular being JudiciaryReport.com, which has over 250 time stamped article exclusives that later proved 100% true and correct.
7. Plaintiff is one of the top pop culture bloggers in the world, having written over 12,000 published, copyrighted articles and broken a number of socially and politically relevant stories that are at the forefront of the national and international dialogue.
8. In 2006, Plaintiff broke the story of the then coming 2008 mortgage and financial crisis in an article published to her SoundOffColumn.com website.
9. In 2005, Plaintiff broke the story of the phone hacking scandal, via a published 2005 police complaint she filed with the Metropolitan Police in London, England, which resulted in arrests and convictions of business associates of the Defendants in 2006, 2008 and 2014, for spying on the Royal Family and politicians, as well as celebrities in sports, music, film and television.
10. In 2009, Plaintiff broke the scandal regarding the Internal Revenue Service (IRS) targeting and discriminating against conservative public figures, regarding illegally withholding tax refunds and exemptions, for peacefully and publicly disagreeing with President Obama.
11. The Plaintiff‘s allegations were confirmed in 2013, when the story hit the mainstream press, then landed in the U.S. Congress, via a series of televised hearings, accompanied by a criminal probe of select Internal Revenue Service employees.
12. In 2006, Plaintiff broke the scandal regarding the NSA spying on citizens in violation of the law, which became a massive scandal in 2013 when former NSA contractor, Edward Snowden, bravely came forward with documents that confirmed Plaintiff’s previously published time stamped articles, regarding the agency engaging in illegal spying against Americans.
13. On November 18, 2013, the Plaintiff alleged in her JudiciaryReport.com column that the ObamaCare website Heathcare.gov is malfunctioning because it is being hacked.
14. The day after Plaintiff’s time stamped article was published online, computer security experts summoned to Congress on November 19, 2013, stated the ObamaCare website Healthcare.gov site was in fact being hacked, which confirmed Plaintiff’s previous allegations contained on her JudiciaryReport.com website.
15. On August 22, 2013, Plaintiff broke the scandal revealing select NSA and FBI employees used government resources, such as wiretapping, to illegally spy on their significant others.
16. Two days later on August 24, 2013, the story was confirmed via the mainstream press and a court filing.
17. A number of the Plaintiff’s time stamped article exclusives she broke first through her websites, turned into national and international stories that later ended up in houses of legislature, such as the U.S. Congress and the British Parliament.
18. Plaintiff has also authored exclusive time stamped science stories on cancer, which were later proven true and correct, via mainstream scientific studies and news reports.
19. Plaintiff hails from an award winning, esteemed family that has been prominent in entertainment, sports and literature for decades.
20. Plaintiff’s father is Vaughn “Bunny” Goodison, an accomplished former international footballer turned coach, then award winning radio and television personality.
21. Plaintiff’s father is a musicologist, who has done many interviews with global press outlets, such as Time magazine, the BBC, The Associated Press, The Scotsman, The Jamaica Gleaner and The Jamaica Observer, among other publications.
22. Plaintiff’s father has been featured on music DVDs, as well as in documentaries, one of which won a top prize at the prestigious Toronto Film Festival.
23. Plaintiff’s aunt is Lorna Goodison, Jamaica‘s poet laureate, who has authored several award winning books.
24. Lorna Goodison’s works were featured in a book of poetry with the late, literary legend, Maya Angelou, entitled “Quartet Of Stories.”
25. Plaintiff’s aunt is Barbara Gloudon, Jamaica’s most famous playwright and award winning radio personality.
26. One of Plaintiff’s ancestors is William Harvey, the English doctor who discovered the circulatory system.
27. Plaintiff’s family members are hardworking people, who are teachers, scientists, doctors, economists, athletes, writers, authors, journalists and television executives.
28. Plaintiff has no criminal record or history of questionable or violent behavior.
29. Plaintiff has led a quiet life that is being greatly disrupted and damaged by the Defendants in acts of unprovoked malice, greed and covetousness.
30. Madonna Ciccone p/k/a Madonna (hereinafter “Madonna”) - is a violent pop singer known in entertainment and legal circles for committing mass copyright infringement, as attested by many intellectual property cases against her and allegations of the same in the public domain.
31. Madonna has not only stolen items from Plaintiff’s time stamped websites viewed by millions of members of the public, who alerted her to the thefts (AishaMusic.com and Aisha.TV) as well as mimicking verbatim items on Plaintiff’s social networking pages, Madonna also began illegally stealing, using and selling to others preexisting copyrights belonging to Plaintiff, illegally obtained by Madonna via computer intrusion (hacking) in hacks traced back to the staff of her website, Madonna.com and the Kabbalah Centre.
32. Madonna was sued in New York for choking 11-year-old boy Keith Sorrentino for “pestering” her for an autograph on her day off.
33. Madonna was sued for throwing the small child against a concrete wall and choking him for following her out of a theatre and repeatedly asking for an autograph.
34. Madonna is one of the principal figures representing and running the Kabbalah Centre.
35. Robyn Fenty p/k/a Rihanna (hereinafter “Rihanna”) - is a violent pop singer known in entertainment and
legal circles for committing mass copyright infringement, as attested by many intellectual property cases against her and allegations of the same in the public domain.
36. Rihanna bragged in an interview about deliberately smashing a glass against her younger brother’s face, causing injury.
37. Rihanna frequently sets a terrible example for impressionable young fans, posting detrimental messages on social networking, bragging about illegal narcotic use, accompanied by photos to illustrating said behavior, as well as promoting harmful binge drinking via getting “blackout drunk.”
38. Rihanna is managed by Defendant Jay Z and his entertainment company Defendants Roc Nation LLC, and Roc Nation Management LLC,.
39. Rihanna is a business associate of Madonna and a member of the Kabbalah Centre.
40. From her first CD to the present, Rihanna has engaged in mass criminal copyright infringement, stealing copious amounts of preexisting, Library of Congress registered copyrights, solely belonging to the Plaintiff that were unlawfully accessed and used without permission.
41. Rihanna’s career is an absolute fraud and 95% built on preexisting copyrighted songs, music videos and treatments, she willfully stole from Plaintiff’s vast, preexisting copyrighted catalog, located on Plaintiff’s hacked business computers and in the Library of Congress.
42. Rihanna has also stolen time stamped and protected business plans located on Plaintiff’s computers that have been thoroughly hacked by Madonna.com’s staff, who are in Madonna’s employ and that of the Kabbalah Centre.
43. Items Rihanna illegally accessed and used without permission include a product placement proposal for Puma, which is a company Plaintiff’s father, Vaughn Goodison, worked for years prior and was appointed the minder for football legend, Pele, during his 2-week tour of Jamaica.
44. Rihanna also stole a business plan belonging to Plaintiff concerning remaking the 1968 song “You Don’t Love Me” by Jamaican singer, Dawn Penn, with Penn’s version having been produced by Plaintiff’s godmother’s husband and longtime family friend, the late legendary reggae music founder and producer, Clement “Coxsone” Dodd.”
45. Plaintiff’s computers also contained a business plan to remake the song “Redemption Song” by the late Bob Marley, who was a friend of Plaintiff’s dad, Vaughn Goodison.
46. Rihanna used the “Redemption Song” remake business plan as well.
47. Rihanna, who is from Barbados, also ripped off a number of songs Plaintiff wrote, including a tune from Plaintiff’s preexisting Copyrighted Catalog entitled “Rude Boy” which is a slang term that originated in Jamaica decades ago, the island Plaintiff was born and lived during her childhood years.
48. Rihanna illegally accessed protected Library of Congress registered copyrighted items that were also in a private time-stamped email, concerning a perfume line Plaintiff authored.
49. Rihanna stole the perfume line and illegally took it to Parlux Fragances, who have mass produced the infringing items in a perfume line that is now deceitfully and illegally under Rihanna‘s name.
50. Rihanna illegally accessed and used a business plan regarding company Cover Girl, which Plaintiff thought would be a good play on names, in conjunction with Plaintiff’s 2001 copyrighted song “Contemporary Girl.”
51. Rihanna illegally accessed and used Plaintiff’s business plan regarding a coconut water company endorsement, which she later took to Vita Coconut Water, a company Madonna bought shares in.
52. Shawn Carter p/k/a Jay Z or Jay-Z (hereinafter “Jay Z“) - is a very violent felon known in entertainment and legal circles for committing mass copyright infringement, as attested by many intellectual property cases against him and allegations of the same in the public domain.
53. Jay Z’s penchant for violence includes shooting his own brother and in a separate incident, viciously stabbing music executive, Lance “Un” Rivera, with a knife in a packed night club.
54. Jay Z pled guilty to the charge and was sentenced to 3-years probation.
55. Jay Z also punched a female fan three times backstage at one of his concerts, in a video clip widely disseminated on the internet.
56. Jay Z founded his entertainment company with drug money from selling crack cocaine to minors and adults on America’s East Coast.
57. Jay Z is a business associate of Madonna and a member of the Kabbalah Centre.
58. Jay Z has illegally and brazenly stolen items from Plaintiff’s website, mimicked items she wrote on social networking, then illegally accessed Plaintiff’s computers via the hackers on staff at Madonna.com and the Kabbalah Centre, stealing copious amounts of preexisting copyrights, registered to Plaintiff in the Library of Congress, prior to the brazen thefts.
59. Jay Z has not only stolen items from Plaintiff’s time stamped websites viewed by millions of members of the public (AishaMusic.com and Aisha.TV) he later began illegally stealing and using preexisting copyrights via computer intrusion (hacking), as well as business plans Plaintiff authored for a sports team, a sports management company (for discovering and developing unknown talent, not poaching established talent from other managers and agents as Jay Z has been doing), an artist management company and a chicken wing restaurant.
60. Official sports leagues such as the NFL and NBA, as well as publications such as Forbes, have reacted very negatively to unqualified Jay Z’s foray into sports, making new league rules designed to keep the dangerously unqualified rapper out.
61. To circumvent the new league rules, which are being called “The Jay Z rule” in sports circles, Jay Z hastily partnered with massive agency, CAA as well as the established Gary Shaw Boxing Promotions, but both companies have since abruptly dropped Jay Z and Roc Nation’s companies.
62. Jay Z was also forced out of sports team, The Brooklyn Nets, which he fraudulently told the public he owned, when he was an investor, not an owner, with less than a 1% share.
63. Jay Z stole Plaintiff’s business plans he did not understand nor have the capacity or business acumen to execute and it has turned into a massive fiasco for him.
64. Defendants Roc Nation LLC, Roc Nation Management, LLC, Roc Nation Records, LLC, Roc Nation Sports, LLC, and Roc Nation Sports - Roc Nation Boxing, LLC, (hereinafter “Roc Nation”) - are entertainment companies owned by Defendant Jay Z and known in entertainment and legal circles for committing mass copyright infringement and engaging in unethical and unlawful financial transactions, as attested by many intellectual property cases, as well as theft and fraud legal actions against the companies and its violent, dishonest, thieving owner.
65. Beyonce Knowles p/k/a Beyonce (hereinafter “Beyonce”) - is a pop singer and wife of Defendant Jay Z. Beyonce is known in entertainment and legal circles for committing mass copyright infringement, as attested by many intellectual property cases against her and allegations of the same in the public domain.
66. A number of publications, such as music industry mainstay, Billboard magazine, have excoriated Beyonce for repeatedly committing mass copyright infringement, unlawfully stealing the preexisting intellectual property and financial royalties of artists all over the world (Billboard magazine article “When Beyonce’s Inspiration Turns Into Imitation” - May 1, 2013).
67. Beyonce is a business associate of Madonna and a member of the Kabbalah Centre.
68. Beyonce has not only stolen protected items from Plaintiff’s time stamped websites viewed by millions of members of the public (AishaMusic.com and Aisha.TV) she later began illegally stealing and using Plaintiff’s preexisting copyrights via computer intrusion (hacking), as facilitated by Madonna, hackers on the staff of Madonna.com and at the Kabbalah Centre.
69. Beyonce even went so far as to issue a veiled threat against Plaintiff in Vibe magazine, after Plaintiff publicly spoke out on her websites read by millions of people, about Beyonce repeatedly stealing her copyrights as well as those belonging to many other artists, who have been publicly slamming Beyonce over this illegal, chronic misconduct.
70. In 2004, Plaintiff released a fictitious song she wrote for HIV and AIDS sufferers entitled “Why Did This Happen To Me.”
71. Plaintiff’s song entitled “Why Did This Happen To Me” contains copyrighted lyrics imagining an HIV or AIDS sufferers’ pain (as Plaintiff does not have HIV or AIDS), “Sometimes I wanna scream. Sometimes I wanna cry.”
72. In a May 2007 interview with Vibe magazine, out of nowhere Beyonce attributed Aisha’s preexisting lyrics to herself, telling the interviewer, “Sometimes I wanna cry. Sometimes I wanna scream” with Beyonce adding the words “I wanna kill somebody” which came across as a threat against Plaintiff.
73. Jessica Cornish p/k/a Jessie J (hereinafter “Jessie J”) - is a pop singer known in entertainment and legal circles for committing mass copyright infringement, as attested by two intellectual property cases against her and many allegations of the same in the public domain (New Old Music Group Inc v. Jessie J and Will Loomis v. Jessie J).
74. Jessie J is a business associate of Madonna and a member of the Kabbalah Centre.
75. From her first CD to the present, Jessie J has engaged in mass criminal copyright infringement, stealing copious amounts of preexisting, Library of Congress registered copyrights from Plaintiff.
76. Jessie J’s career is an absolute fraud and 95% built on preexisting copyrighted songs, music videos and treatments she willfully stole from Plaintiff’s vast, preexisting copyrighted catalog that is registered in the Library of Congress and located on Plaintiff‘s hacked business computers.
77. In acts of extreme ill-will and malice, Defendants Rihanna and Jessie J, performed stolen, preexisting copyrighted music illegally taken from Plaintiff’s preexisting copyrighted catalog, at the 2012 Olympics of all places, an event meant to symbolize world unity and brotherhood/sisterhood.
78. It was absolutely disgraceful and completely offensive in light of the setting (the Olympics).
79. Rihanna and Jessie J did not inform the organizers of the 2012 Olympics of what they had done in performing stolen music, willfully pilfered in acts of criminal copyright infringement.
80. An example, one of many thefts, is Jessie J stealing Plaintiff’s preexisting, Library of Congress registered 2006 song “It’s About The Money” and changed the hook renaming Plaintiff’s song to “It’s NOT About The Money” for Jessie J’s 2010 rip off.
81. Viewers at home and online wondered why someone singing “It’s NOT About The Money” was singing said song in a Rolls Royce, as it contradicts the title of the song. Plaintiff’s song “It’s About The Money” is about materialism. Jessie J’s rip off “It’s NOT About The Money” changed the tone of Plaintiff’s song with the word “NOT.”
82. Rita Ora - is a pop singer known in entertainment and legal circles for committing mass copyright infringement, as attested by many allegations thereof in the public domain.
83. Ora has a disgraceful legal history of having been sued for fraud and breach of contract (Superga v. Rita Ora).
84. Rita Ora is managed by Defendant Jay Z and his entertainment company Roc Nation.
85. Rita Ora is a business associate of Madonna and a member of the Kabbalah Centre.
86. From her first CD to the present, Rita Ora has engaged in mass criminal copyright infringement, stealing copious amounts of preexisting, Library of Congress registered copyrights from Plaintiff.
87. Rita Ora’s career is an absolute fraud and 95% built on preexisting copyrighted songs, music videos and treatments, she willfully stole from Plaintiff’s vast, preexisting copyrighted catalog, in acts facilitated by Madonna and her hackers on staff at Madonna.com and at the Kabbalah Centre.
88. Yehuda Berg - is a rabbi and principal figure of Defendant Kabbalah Centre.
89. Yehuda Berg, who follows Plaintiff on Twitter.com (see EXHIBIT A) where she has “blocked” him, is under criminal investigation by the FBI and IRS, for assault, battery, human trafficking, tax evasion and charity fraud.
90. Karen Berg - is a co-owner of the Kabbalah Centre and is under criminal investigation by the Federal Bureau of Investigation and Internal Revenue Service for human trafficking, tax evasion and charity fraud.
91. Michael Berg - is a rabbi under criminal investigation by the Federal Bureau of Investigation and Internal Revenue Service for human trafficking, tax evasion and charity fraud.
92. Kabbalah Centres of the United States, INC. (hereinafter “Kabbalah Centre”) - is an alleged religious organization experts have labeled “a cult.”
93. The Kabbalah Centre is under criminal investigation by the FBI and IRS for human trafficking, tax evasion and charity fraud.
94. Many former Kabbalah Centre members have filed police reports and formal complaints with the FBI alleging financial fraud, theft of their money and property, as well as human rights abuses.
95. The Defendants need to explain in a court of law how they ended up in possession of so many of Plaintiff’s preexisting copyrights, solely housed in the Library of Congress under Plaintiff’s name as well as in Plaintiff’s computers that were hacked, in computer intrusion traced back to the staff of Madonna.com and the Kabbalah Centre, using them verbatim without permission.
JURISDICTION, PARTIES AND VENUE
97. This is a legal action for willful violations of the Florida Statues Chapter 784.048, Chapter 934.03, Chapter 540.08, Chapter 784.011, Chapter 810.14, Chapter 934, Chapter 815, Chapter 810.02 and Chapter 78.
98. This is not a legal action for copyright infringement, which does not fall under this Court’s jurisdiction, but rather computer related violations of the Florida Statutes, among other causes of action, which exclusively fall under this Court’s jurisdiction.
99. This lawsuit is in reference to the systematic destruction of Plaintiff’s human rights (privacy and property rights) by the Defendants, who are in a religious sect, Kabbalah Centre, steeped in the occult, while operating in the entertainment industry.
100. The ongoing unlawful conduct that has been transpiring against Plaintiff occurred in Miami, Florida, which is under this Court’s jurisdiction.
101. Defendant Kabbalah Centre is a Florida corporation whose place of business is located at 2725 NE 163rd Street, North Miami Beach, Florida 33160, which, at all times relevant, has been doing business in Miami, Florida, falling under this Court’s jurisdiction.
102. The Defendants listed in this legal action all conduct business in Miami, Florida, which falls under this Court’s jurisdiction.
103. As such venue is proper in Miami, Florida under said jurisdiction.
GENERAL ALLEGATIONS COMMON TO ALL COUNTS
104. Plaintiff filed a formal complaint with the FBI and then was called into their North Miami Beach office for two interviews conducted days apart.
105. Plaintiff gave written statements, legal documents and associated files, as well as verbal statements to the FBI during two interviews, regarding Madonna and the Kabbalah Centre’s private investigator, Anthony Pellicano and his illegal spying and harassment against innocent people (Anthony Pellicano is a Mafioso, who is a member of the Colombo Italian mafia, as is Madonna’s ex-boyfriend and current business associate Chris Pacello).
106. 4-months later, excerpts of Plaintiff’s written and verbal statements to the FBI regarding Anthony Pellicano’s criminal activities that negatively impacted many people, appeared in an indictment against him.
107. Anthony Pellicano was arrested on 115 criminal counts of wiretapping, hacking, identity theft and harassment, confirming Plaintiff’s previous written and verbal claims about him.
108. During the course of the criminal case, information was made public that Madonna and Kabbalah Centre’s private investigator, Anthony Pellicano, who is a career criminal, was targeting people on their behalf, using hackers he kept on staff to not only hack computers, emails and phones, but thugs with criminal records to stalk, threaten, assault and intimidate innocent people in public and at their homes and places of employment, on behalf of his famous employers in Hollywood.
109. Anthony Pellicano was convicted of the aforementioned criminal behavior, found guilty on all counts and sentenced to 15-years in prison, where he currently sits.
110. In 2005, Plaintiff also filed a written police complaint with the Metropolitan Police in London, England alleging Madonna and the Kabbalah Centre, as well as their associates at News Corp and News International (the Sun Newspaper and News of the World) have been engaging in phone hacking (wiretapping) and computer hacking against her, among other things.
112. 6-months later, the Metropolitan Police began arresting employees of News International on charges of wiretapping the Royal family, politicians, sports stars and many entertainers.
113. Plaintiff hoped the arrests and convictions of the Defendants’ associates Anthony Pellicano, as well as those at News Corp’s News International was the end of the criminal misconduct against her.
114. However, the Defendants have resumed the aforementioned illegal conduct with other private investigators such as Gavin DeBecker, among others.
115. These unprovoked, hateful, malicious acts are aimed at harming and hurting Plaintiff, who did nothing to the Defendants, as it is they who attacked and robbed her of her intellectual property and privacy.
116. Plaintiff’s very valuable copyright catalog has made her a target of the unscrupulous Defendants, who based on court records and public claims of the same, have a long, sordid and murky history of committing copyright infringement, criminal copyright infringement, trademark infringement and racketeering.
117. The Defendants have committed copyright infringement and criminal copyright infringement regarding Plaintiff, stealing copious amounts of her preexisting copyrights.
118. These items were stolen from Plaintiff’s public websites and separately hacked and copied by the staff of Madonna.com from Plaintiff’s private business computers and emails via unauthorized access.
119. When Plaintiff realized she was being hacked and her preexisting copyrights illegally copied and used
by the Defendants, Plaintiff stopped authoring copyrights on computers that connect to the internet.
120. This led to multiple break-ins of the Plaintiff’s home in Miami, Florida, where copies of newer copyrights, authored by Plaintiff and registered by her in the Library of Congress, were stolen and then used by the Defendants, without her permission.
121. Plaintiff filed police reports regarding the break-ins.
122. Police informed Plaintiff they were ordered by the FBI to defer to them in the matter.
123. Occult objects, such as a large silver angel statue and other items associated with the occult, were left inside and outside Plaintiff’s property after the aforementioned break-ins by thugs in the employ of the Defendants.
124. Madonna has been known to frequent occult shops and litigation was brought against her for non-payment of custom made occult jewelry.
125. Madonna refers to herself in interviews as a “high priestess” of the Kabbalah Centre.
126. The term “high priestess” is associated with the occult and Satanism and Madonna refers to herself in imagery as such in a music video entitled “Who’s That Girl.”
127. Madonna repeatedly makes reference to the occult and Satanism in her lyrics, music videos, performances and interviews.
128. A “chevre” Madonna dispatched to stalk Plaintiff referred to Plaintiff as “Madonna’s sacrifice” which is an occult reference.
129. As stated previously in this lawsuit, Yehuda Berg follows Plaintiff on Twitter.com and Plaintiff has “blocked” him (see EXHIBIT A)
130. Madonna has asked singers, producers, songwriters, friends and ex-boyfriends, to find and contact Plaintiff on her behalf.
131. Madonna tried to get Plaintiff to join Kabbalah and her then label Warner Bros, via having Sean “Puffy” Combs send Plaintiff his number through a mutual acquaintance, who is a songwriter.
132. Plaintiff was tracked down by two of Madonna’s ex-boyfriends in separate incidents in Miami (rapper Vanilla Ice and basketball player Dennis Rodman).
133. Madonna’s ex’s boyfriend, Lenny Kravitz, showed up outside Plaintiff’s mother’s job shooting a music video in a very unlikely area of Miami not used for shoots.
134. Madonna’s ex-boyfriend, music producer, Jellybean Benitez, contacted Plaintiff on social networking.
135. Madonna’s music producer, Timbaland, contacted Plaintiff on social networking.
136. Madonna’s fellow Kabbalah Centre member, Chris Brown, stalked Plaintiff twice in Miami, one year apart, in the Miami Shores suburb she used to live in, which is not usually frequented by stars.
137. Plaintiff has never once tried to contact the Defendants, directly or indirectly, whether by phone, email, social networking, in person or via any other means.
138. However, the Defendants have made repeated attempts at contacting the Plaintiff directly and indirectly through third parties, such as music producers, songwriters, singers, rappers, actors, television personalities and industry executives.
139. Plaintiff is weary of the Defendants, due to their murky legal history for acts such as violence, threats, copyright theft, trademark theft and extensive financial fraud.
RADIO SHOW HARASSMENT
140. The Defendants deceitfully tried to drag Plaintiff onto a radio show at Top 40 pop music station, Nova 919, listened to by millions of people in Australia and global audiences on the internet.
141. At the time, Nova 919 was owned by Rupert Murchoch’s son, Lachlan Murdoch, with the family company being News International, an entity Plaintiff reported to the Metropolitan Police in London, which resulted in arrests and convictions of their employees, who are also business associates of the Defendants.
142. Madonna paid for a strange, self-celebratory radio special on Murdoch’s radio station Nova 919 to toast her life and career, which featured her family, friends and business associates (of which Plaintiff is not one).
143. Madonna asked Nova 919 radio personality, Hans, to email Plaintiff under deceitful, false pretenses, trying to get Plaintiff on the ego stroke of a show, in order to harass, menace, mock and terrorize her over Madonna, in conduct psychologists attribute to stalkers.
144. Plaintiff’s family works in the radio industry on programs listened to by millions and never would she dream of trying to drag anyone on a radio show, under false pretenses, to harass them, in conduct by Madonna that was a crude, low brow, low class display of ignorance and malice.
145. Plaintiff not liking the pre-release items for the kooky radio special celebrating Madonna, informed DJ Hans that she would not be making an appearance on the show, regardless of what he had announced to listeners before checking with her, as she is a victim of crime at the Defendants hands, in what is an ongoing criminal investigation in two nations.
146. Not long after, Madonna’s private investigator was sentenced to prison in America, as were other associates of the Defendants in London, England.
147. Madonna, Jay Z, Rihanna and Kabbalah Centre “chevre” are moody, irrational, violent, unstable individuals capable of extreme acts of violence.
148. Kabbalah Centre “chevre” have been convicted of assault and murder in America, Britain and Israel.
149. Kabbalah Centre “chevre” have engaged in acts of assault and sexual assault in Miami, Florida against the Plaintiff on the orders of the Defendants.
150. Plaintiff has been slapped, pushed, shoved and choked by Kabbalah Centre “chevre” in separate incidents on public streets.
151. Plaintiff’s elderly mother, who walks with a cane as she has Guillain Barre and heart problems, was stalked into the bathroom of a Chase Bank, located at 1201 N.E. 163rd Street, North Miami Beach, Florida 33162.
152. The Kabbalah Centre “chevre” member in question, is one Plaintiff and her family had seen at three disparate locations in Miami over the course of weeks, menacingly following them around (Plaintiff was able to snap pictures of him with her mobile phone during two of three stalking incidents).
153. On this occasion, this Kabbalah Centre “chevre” member, followed behind Plaintiff’s mother as she went to the bathroom (toilet) of the Chase Bank by herself, but Plaintiff‘s mother did not see him until he confronted her.
154. As Plaintiff’s mother opened the bathroom door, she saw him out of the corner of her eyes raising his hands up trying to push her into the bathroom to assault her.
155. Plaintiff’s mother began screaming for help, which summoned the Chase Bank staff and caused the assailant to push past them and run out of the bank, fearing arrest.
156. In another incident, Plaintiff and her mother were stalked by a Kabbalah Centre “chevre” into the public toilets at Aventura Mall in Miami.
157. Said female Kabbalah Centre “chevre” began racially insulting Plaintiff and her mother in front of many people and violently banging her hands on the bathroom door, attempting to violently remove Plaintiff’s elderly mother from the closed toilet stall.
158. Upon viewing this harassing display, Plaintiff immediately called for an Aventura Mall attendant, which caused the female Kabbalah Centre “chevre” to immediately flee the mall fearing arrest.
159. The racist incident was witnessed by many female shoppers, who were using the toilets as well and heard, then saw the commotion created by the Kabbalah Centre “chevre“ trying to attack Plaintiff’s elderly mother, who walks with a cane.
ATTEMPTED VEHICULAR ASSAULT
160. A Kabbalah Center “chevre” tried to run over Plaintiff in broad daylight on 163rd street, directly across the street from the same Chase Bank location Plaintiff’s mother was later stalked and assaulted in by a Kabbalah Centre “chevre.”
161. Plaintiff called 911 reporting the attempted vehicular assault to police.
162. During a second incident, a Kabbalah Centre “chevre” looked Plaintiff in the face, quickly hopped in his van and deliberately began backing up, nearly running over Plaintiff and her elderly mother in a parking lot outside a pharmacy (location: 791 NE 167th Street, North Miami Beach, Florida 33162).
163. Plaintiff went public regarding the attempted vehicular assault, writing about it on her website the JudiciaryReport.com.
164. One year later, the FBI and Department of Justice revealed via the criminal case against Madonna’s private investigator, Anthony Pellicano, that one of his tactics against innocent victims he was paid $100,000 by Hollywood stars to target is to pay people to run them over with vehicles while they are walking in public settings.
165. In one such incident, an innocent journalist was run over and hospitalized with broken bones, after Anthony Pellicano issued a threat against him on behalf of a Hollywood star, who paid him to target the scribe.
166. When the acts of assault and terrorization failed to destroy the Plaintiff, the Defendants via Kabbalah Centre “chevre” began demanding Plaintiff commit suicide.
167. However, suicide is not something Plaintiff would ever do, as it goes against her religion.
168. A threat was issued to kill Plaintiff in her sleep and bury her out in the desert (“We’ll kill you in your sleep” and “We need to see you die. Put you in a shallow grave somewhere out in the desert”)
169. Another threat was issued to “slit your (Plaintiff’s) throat” and another statement was made threatening “You don’t deserve to live.”
ATTEMPTS AT STEALING PLAINTIFF'S BAG WITH NEWER COPYRIGHTS ON HER LAPTOP
170. Plaintiff maintained newer copies of her Copyrights in her bag after the break-ins where copyrighted discs were stolen that contained copies of her intellectual property, such as songs, videos and film scripts, among other things.
171. This prompted Plaintiff to buy a new laptop that would not connect to the internet nor be left in her home, to prevent any more thefts.
172. This led to the Defendants dispatching Kabbalah Centre “chevre” to try to grab Plaintiff’s laptop in public settings on two occasions.
173. The first incident happened in Skylake (a suburb of Miami) when a Kabbalah Centre “chevre” began spewing the private details of Plaintiff’s life at her, obtained via wiretapping and hacking, then grabbed the lid of Plaintiff’s laptop, forcing Plaintiff to grab it back.
174. The second incident happened at Avenura Mall in Miami, where two Kabbalah Centre “chevre” stalked and followed Plaintiff into the Apple store.
175. While Plaintiff was looking at a computer, the female Kabbalah Centre “chevre” quickly unzipped her bag, reached her hand in Plaintiff’s bag and tried to pull out the laptop containing newer, unreleased copyrights Plaintiff had authored and registered with the Library of Congress.
176. Plaintiff felt her bag containing the laptop with her newer copyrights move.
177. Plaintiff quickly spun around and grabbed her bag, which caused the two Kabbalah Centre “chevre“ - a man and a woman - to flee, fearing arrest.
DEFENDANTS' MISGUIDED AND DANGEROUS VIEWS ON "ALIENS"
178. The Defendants have tried to excuse their illegal, irrational behavior against the Plaintiff by stating “God sent the copyrights to the wrong brain” and they “had to retrieve them from (your) Plaintiff‘s home” and bag, via burglaries and attempted thefts of Plaintiff’s bag.
179. The Defendants have also irrationally stated Plaintiff is “not human” - therefore their wicked, vicious and evil conduct is permissible.
180. These irrational claims by the Defendants, voiced to the Plaintiff via Kabbalah Centre “chevre” who have repeatedly stalked her on the Defendants’ orders, keep repeating these claims to dehumanize the Plaintiff in order to justify the terrible human rights abuses being committed against her.
181. However, Plaintiff’s doctors will readily attest she is very much human (as insulting, ridiculous and kooky as the Defendants’ premise for the barrage of unprovoked attacks and abuses is to anyone with commonsense).
182. Hollywood religious sects have a well documented pattern and history of extensive criminal abuse against innocent people, wrongly labeling individuals “aliens” and “extraterrestrials” not subject to U.S. human rights laws, as seen with Scientology and Kabbalah.
183. A number of books and articles have documented their conduct in this regard.
183. Therefore, under this odd and erroneous premise, Hollywood religious cults believe and act upon the view, that it is somehow permissible to criminally abuse others in any manner they wish, rationalizing and doing the unthinkable in violation of the law.
STALKING, ASSAULT AND RACIAL SLURS
185. In a recently issued report, the U.S. federal government recognized “gang stalking” as an emerging and dangerous form of stalking being utilized by individuals acting as a group, as seen with Madonna’s private investigator, Anthony Pellicano, who had nearly two dozen people in his employ wiretapping, stalking, threatening and assaulting people on behalf of Hollywood stars.
186. The Defendants have repeatedly dispatched non-famous “chevre” from the Kabbalah Centre, located at 2725 NE 163rd Street, North Miami Beach, Florida 33160, to aggressively stalk, approach, confront, threaten, assault, sexually assault and harass Plaintiff.
187. Plaintiff has been stalked by the aforementioned individuals in Miami, Los Angeles, Atlanta, Kingston (Jamaica) and London (England) in misconduct that has illegally crossed state and international lines.
188. The stalking has been witnessed by Plaintiff’s family, as they are followed and approached by Kabbalah Centre “chevre” as well.
189. Kabbalah Centre “chevre” have communicated ultimatums, threats and other strange items to the Plaintiff in public settings, as messages from Madonna and her co-Defendants, none of which the Plaintiff has any interest in.
DEFENDANTS' RACISM AND SLURS ABOUT JAMAICA
190. Some of the unsavory, despicably racist items Plaintiff has been called by Kabbalah Centre “chevre” on behalf of the Defendants include “nigger” “Jamaican nigger” “f***ing Jamaican” and “Aunt Jemimah” among other racial slurs.
191. During one of many incidents, a Kabbalah Centre “chevre” laid in wait for Plaintiff to exit the front door of her home and as she began walking out of the front yard, he began riding his bike back and forth while screaming the racial slur “nigger! nigger! nigger! nigger!” in conduct aimed at the Plaintiff.
192. In another incident, a Madonna.com and Kabbalah Centre hacker, emailed Plaintiff a death threat referring to her as a “deranged nigger” (See EXHIBIT B) for publicly alleging Madonna has been stealing her preexisting copyrights (another email was sent threatening to “skin you (Plaintiff) alive” and “die bitch die!”).
193. After Plaintiff went public with the matter, publishing a portion of the racist, death threat email to her sites, Madonna arrogantly and defiantly took to the internet and used the same aforementioned racial slur again, but this time on social networking website Instagram.
194. Immediately, Madonna was condemned by the press and public for using the racial slur.
195. Madonna has also espoused support for despicable Adolf Hitler, proudly displaying a portrait of him in her home to a shocked journalist, who wrote about it.
196. During other incidents of stalking, Kabbalah Centre “chevre” were dispatched by the Defendants to make horrifically hateful, racist slurs about Plaintiff’s homeland of Jamaica, in acts of bullying, harassment and willful malice.
197. The Defendants via Kabbalah Centre “chevre” have offensively called Jamaicans “niggers” and generalized all Jamaicans as “thieves” and “murders” disparaging Jamaica as an “awful” and “terrible” place, which is ignorant and untrue.
198. The hateful Defendants further threatened Plaintiff via Kabbalah Centre “chevre” that they would report her to immigration, as retaliation for her publicly complaining about them stealing her copyrights.
199. Plaintiff lawfully immigrated to America at age 9 and became a U.S. citizen in 1999.
200. However, the Defendants words indicated they were somehow going to have the Plaintiff thrown out of America via Immigration, for daring to complain that they have been stealing her copyrights and stated Plaintiff should be grateful and consider it an honor they are stealing from her, as it is the price she must pay for being an immigrant living in America.
201. The Defendants further stated that illegally spying on Plaintiff is their right, as America is their country and they can do what they want.
202. In 2012, Plaintiff spent several months in London, England, as confirmed by airline tickets and passport stamps (see EXHIBIT D).
203. A member of the Kabbalah Centre from America stalked and confronted Plaintiff in London, in a South Kensington business Plaintiff frequented during the trip.
204. During the unprovoked incident, the Kabbalah Centre member began raising her voice at Plaintiff and harassing her in front of others, demanding to know who she would vote for and endorse on her website JudiciaryReport.com in the 2012 U.S. Presidential election and angrily and repeatedly demanded to know, “When are you coming back to America!”
205. The Defendants tried to drag Plaintiff back to America like she was a runaway slave, as they were unable to terrorize her in the manner they did in Miami, fearing arrest in Britain, as the Metropolitan Police had arrested and placed their business associates on trial in London for illegal phone hacking.
206. During the same trip, a business associate of Madonna and the Kabbalah Centre, Mr. Andy Coulson, who is the former editor of the News Of The World newspaper, angrily muttered at Plaintiff in Dulwich (a suburb of London) on the street outside one of the Plaintiff‘s family members’ homes of the past 20 plus years.
207. 2-years later, Coulson was convicted and jailed in London in 2014 for illegal phone hacking and is currently serving his sentence behind bars.
208. The Plaintiff, who is a Christian, has faced significant religious harassment from the Defendants.
209. Hollywood, the industry in which the Defendants are based, is notoriously anti-Christian and have
openly displayed a well documented hatred, hostility and animosity for Christians, in acts disliked by many Americans, who have voiced their displeasure in articles and feedback comments online.
210. The Defendants dispatched Kabbalah Centre “chevre” to stalk and harass Plaintiff over her religious faith and have demanded she give up her religion and adopt the Kabbalah Centre sect’s detrimental, disturbing teachings.
211. During one of several acts of stalking and harassment, the Defendants dispatched Kabbalah Centre “chevre” demanding to know, “How much money would it take for you (Plaintiff) to give up your religion?”
212. Plaintiff, cornered by the aggressive male Kabbalah Centre “chevre” responded she would not give up her religion for money or anything else.
213. The Defendants, namely staff of the Kabbalah Centre and Madonna.com, who are hackers, hacked Plaintiff’s politics and pop culture website JudiciaryReport.com out of malice to deface or delete exposé articles about their unlawful behavior and hacked Plaintiff’s Christian website Compendius.com defacing and destroying it for several months.
214. This misconduct was undertaken by the Defendants in illegal attempts at taking Compendius.com off the internet and blocking many pages of the site from displaying online.
215. Plaintiff had to rebuild Compendius.com from scratch and launch it on a new software platform, to eliminate all the damage that had been done by the Defendants.
216. Select Kabbalah Centre “chevre” have since filed lawsuits and complaints with the FBI stating they were being abused and defrauded by the Defendants.
217. A number of Kabbalah Centre “chevre” have stated in separate lawsuits they were forced to surrender all their worldly possessions to the Kabbalah Centre and were kept as slaves, working long hours for little or no pay.
218. Kabbalah Centre “chevre” also stated in writing they were used by the Defendants to commit scams against the U.S. government.
219. Shaul Youdkevitch stated that when he was a “chevre” at the Kabbalah Centre, “Breaking the law became a habit in every possible direction.” (New York Post - April 2, 2012).
220. America is a nation that espouses freedom of religion and no one has the right to stalk, harass and threaten anyone over their religious choices.
“INTRUSION UPON SECLUSION”
221. Kabbalah Centre “chevre” repeatedly showed up at Plaintiff’s home under false pretenses, knocking on the door for minutes at a time and trying to deceitfully gain entry into the property.
222. Recently, security had to be summoned after a Kabbalah Centre “chevre” knocked on Plaintiff’s door for 10 minutes and refused to leave until security was called and he fled.
223. Kabbalah Centre “chevre” have contacted Plaintiff pretending to be police, federal law enforcement, repairmen, medical workers and charity workers to unlawfully gain entry.
224. This misconduct is ongoing, continuing into the present.
STALKING AND INTERFERENCE IN PLAINTIFF'S BUSINESS AND FINANCES
225. The Defendants have engaged Kabbalah Centre “chevre” to stalk Plaintiff when she leaves her home.
226. On many occasions, while Plaintiff filmed in Miami, London and Kingston, Jamaica, the Defendants engaged Kabbalah Centre “chevre” to spy on what she filmed.
227. Kabbalah Centre “chevre” have disruptively interrupted Plaintiff’s film shoots in Miami, Florida on several occasions.
228. Plaintiff copyrights filmworks in written format, then films them and then copyrights the footage as well.
229. Kabbalah Centre “chevre” routinely follow Plaintiff around, then relays to the Defendants what she filmed and within a short space of time, the Defendants film the exact same things and places, in unlawful, infringing acts based in stalking.
230. Other acts of malicious stalking to interfere with Plaintiff’s business include stalking Plaintiff when she tried to lease space for a new restaurant and separately a clothing store.
231. Kabbalah Centre “chevre” repeatedly stalked Plaintiff to real estate appointments, made their presence known, then repeatedly called business real estate owners and realtors demanding they not lease property to Plaintiff, as well as in a separate incident interfering with and destroying the financing on a purchase Plaintiff was days from completing.
232. These acts are discriminatory and illegal under U.S. and international law.
233. In the aforementioned phone hacking scandal that Plaintiff broke first on her website concerning Madonna’s business associate, Rupert Murdoch and his company News Corp, it was discovered he contacted businesspeople threatening them not to work with or lease or sell goods and services to people whose companies he targets for destruction to pilfer the assets, such as copyrights, patents and trademarks.
234. Murdoch and News Corp destroyed a number of businesses in this manner, in an issue that has been raised by members of the U.S. Congress, over its terrible business practices and discriminatory nature (i.e. the “Floor Graphics” company).
235. The Defendants engaged individuals at Google’s Ad Sense, Google News and Google Blogger to brazenly discriminate against and harass Plaintiff, as Plaintiff’s websites began generating too much attention and making increased sums of money in ad revenue, receiving a massive amount of visitors on a regular basis.
236. The Defendants engaged business associates, AKM GSI, a paparazzi agency, to harass Plaintiff and terrorize her family in Miami in her absence in 2012, while Plaintiff was in London.
237. Two years later, in 2014, AKM GSI was slammed by the White House for harassing first daughter, Malia Obama, violating a standing press agreement that the First Kids are not to be approached or photographed when not in the company of their parents, President Barack Obama and First Lady Michelle Obama.
238. AKM GSI stalked, approached and took paparazzi styled photos of Malia Obama, upsetting the minor and infuriating the U.S. Secret Service protecting her.
MADONNA'S INTERFERENCE IN PLAINTIFF'S PRIVATE LIFE
239. The 14th Amendment of the Constitution states no state shall, “Deprive any person of life, liberty or property without due process of law”
240. However, not content with stealing Plaintiff’s intellectual property and privacy, the Defendants have also taken illegal aim at Plaintiff’s private life.
241. The Defendants have contacted people the Plaintiff knows harassing them over Plaintiff, in trying to destroy her personal relationships, in bids at isolating her (recognized by psychologists as a cult technique) via conduct that is disturbing and meets psychologists’ textbook profiles of stalkers.
242. The Defendants’ Kabbalah Centre “chevre” have communicated threats regarding Plaintiff’s Jamaican friends and their offspring, in trying to bully her into doing their bidding, proving they are a danger to Jamaican people they deem slaves and expendable (It was revealed in criminal court documents that Madonna’s private investigator Anthony Pellicano had threatened people and their children as well).
243. The Defendants have also interfered in Plaintiff’s private life in other ways.
244. Madonna is known in Hollywood as a bisexual woman, who has engaged in lesbian relationships with Miami club promoter, Ingrid Casares, actress Sandra Bernhard and talk show host Rosie O’Donnell (Madonna and others have publicly discussed these lesbian relationships).
245. Madonna is under the strong delusion Plaintiff should be in love with her and has repeatedly dispatched Kabbalah Centre “chevre” to relay this one-sided view not shared by the Plaintiff, who is not gay or bisexual.
246. Kabbalah Centre “chevre” have repeatedly made distressing statements that Plaintiff must like Madonna and not men, when the Plaintiff has absolutely no romantic interest in women, especially Madonna.
247. The Defendants have repeatedly been told this when Madonna dispatched Kabbalah Centre “chevre” to harass Plaintiff in Miami about her personal life, but refuse to stop this misconduct.
248. Madonna has dispatched Kabbalah Centre “chevre” to repeatedly tell Plaintiff items such as Plaintiff should romantically “like women” (when Plaintiff does not and has never romantically liked any woman), Plaintiff is “not to marry an African or Englishman” (two of the five nations that comprise Plaintiff’s ancestry), Plaintiff “must marry an Italian” (Madonna is Italian) and Plaintiff is “not to reproduce” and “not to have children” and repeatedly asking Plaintiff “go to Italy.”
249. A basic right people have in society is to marry and have children, yet the Defendants have displayed an alarmingly aggressive, controlling and dangerous attitude towards the Plaintiff in this regard that has made her concerned for her safety.
250. Madonna’s obsessive, jealous and resentful behavior, has taken on other increasingly disturbing and alarming forms.
251. For example, a famous male singer and separately a famous male actor were harassed by Madonna over their interest in the Plaintiff.
252. Another example is Madonna engaging co-defendant, Jay Z, to reprimand a famous athlete for communicating with Plaintiff on social networking.
253. Madonna also engaged co-defendant, Jay Z, to reprimand a second famous athlete for communicating with Plaintiff on social networking.
254. Jay Z further egregiously defamed the Plaintiff to both athletes, labeling her a “gold digger” who would use them for their fame.
255. However, Plaintiff is a devout Christian, who is a virgin that almost became a Christian pastor, but opted to author patents and wholesome family entertainment in the form of copyrighted music, literature and filmworks.
256. Furthermore, Plaintiff was asked to audition for reality shows and offered opportunities to write for and work with mainstream recording artists, but declined, opting to keep her work and company independent.
257. In another incident, a British rock music legend wanted to work with Plaintiff and Madonna became enraged and began issuing threats in the industry over it.
258. The Gibson Guitar company offered Plaintiff the opportunity to open for Lenny Kravitz, Madonna’s ex-boyfriend, in a new artist spotlight tour they were putting together with various acts.
259. However, Madonna became angry and began harassing people over it, destroying the proposed deal.
260. Therefore, Plaintiff does not have the profile of a gold digger or fame seeker, as she was presented with viable offers, but declined several of them, while two were destroyed by irrational, resentful Madonna.
261. Jay Z has been sued over a dozen times for copyright theft, financial theft, theft of funds and trademark theft, therefore he is indeed the gold digger, not Plaintiff.
262. Madonna has displayed a very alarming hatred, jealousy and resentment regarding the aforementioned famous athlete in his mid-twenties.
263. Madonna further stated, in comments relayed to Plaintiff, that the Plaintiff should not know these people as it is “above (Plaintiff’s) station in life” (when Plaintiff has met many legendary and modern celebrities since the time she was a child, due to her father’s job).
264. Madonna also dispatched Kabbalah Centre “chevre” who communicated the sick view Plaintiff is “a slave” “a good slave” “Madonna’s prey” “people must not think you are loved” and to excuse their illegal thefts of Plaintiff’s preexisting copyright/royalties/money “you are not allowed to have anything” and “you must not know luxury.”
265. After getting numerous high profile industry men and women to contact and or track down Plaintiff in person, reliable, credible industry sources, as well as menacing Kabbalah Centre “chevre” have repeatedly indicated to Plaintiff that Madonna is seeking to meet Plaintiff, which Plaintiff does not want at all (not out of fear, but disgust due to Madonna’s appalling behavior).
266. Plaintiff has been avoiding Madonna and those associated with her, as they are in a very questionable sect.
267. Plaintiff, as a writer, invokes Shield Laws, also known as “Press Privilege” in withholding the names of the aforementioned famous men, to spare them any further distress, regarding the Defendants’ inappropriate, harassing and meddlesome conduct.
268. Kabbalah Centre “chevre” have repeatedly demanded Plaintiff is to forgo men and like Madonna or else face violent consequences from the sect.
269. When Plaintiff refused, Defendants began sending male members of the Kabbalah Centre to sexually harass and inappropriate touch Plaintiff in public settings (inappropriately trying to touch her breasts, touching her breast and buttocks, brushing against Plaintiff’s buttocks with their penis, when there was no reason for them to be in such close proximity to the Plaintiff and trying to kiss the Plaintiff on the mouth without permission).
270. This is unwanted contact that is unlawful.
271. The Plaintiff is used to men asking her out and expressing an interest in a romantic relationship with her, which is normal and she has no issues with that.
272. Men kiss her hand, kiss her on the cheek and hug her, which is normal.
273. However, Kabbalah Centre members repeatedly cross the line in stalking the Plaintiff, trying to and in several cases succeeding in touching the Plaintiff in private parts in public settings and engaging in sexual speech asking Plaintiff “do you eat cum” and “do you think sex is dirty.”
274. No one should be subjected to such crude and menacing stalking and unwanted sexual advances and touching.
275. Rabbi Yehuda Berg, who as stated previously in this lawsuit, is following Plaintiff on Twitter.com, was recently sued for sexually harassing, sexually assaulting, drugging and threatening the life of Kabbalah Centre student, Jena Scaccetti.
276. She alleges in a legal filing carried in national and international newspapers, Berg drugged her, groped her and tried to have sex with her without permission.
277. When she refused, rabbi Yehuda Berg threatened to, “F**king beat the whole right side of [her] until [she was] blue“ and “f**king kill you.”
278. The Defendants are dangerous, depraved, thieving bullies, thugs and frauds, who are a danger to society.
279. The Defendants have engaged in a retaliatory pattern of ongoing abuse, harassment and computer intrusion to steal protected intellectual property.
280. Plaintiff’s parents have been alarmed at the Defendants aggressive, dangerous and threatening conduct towards the Plaintiff over her copyrights the Defendants illegally accessed and have been using without permission.
281. A former Jamaican Prime Minister (that was in office at the time) who is an accomplished, highly intelligent, well educated attorney and friend of Plaintiff’s father sent the Plaintiff to a law firm in Miami, regarding the infringement of her copyrights and the matters surrounding it.
282. Plaintiff was sent to the Miami office of the international law firm of Sanders, Squire and Dempsey.
283. Work began on Plaintiff’s case against Madonna and her co-defendants.
284. When Madonna got wind of it, she and the Kabbalah Centre, began harassing the law firm demanding they drop the Plaintiff or face retaliatory behavior from the Defendants.
285. The Defendants are operating under the premise the U.S. legal system is the wild west, were Defendants such as themselves, who are engaging in terrible crimes against innocent people, such as the Plaintiff, should be allowed to unethically and unlawfully harass jurists into dropping victims of crime, lest their businesses be destroyed by miscreants, to clear the way to engage in further deplorable, disgraceful human rights abuses.
286. The Defendants conduct in this regard was disgraceful, despicable and unjust.
287. It spat in the face of the legal system and victims of crime everywhere.
288. For a foreign head of state to take the time to locate an attorney for the Plaintiff to protect her rights and safety, then for the Defendants to harass said attorney and firm into dropping a victim of crime or face retaliation, was a shameful and disgraceful act by the Defendants, full of ill will, hatred and malice.
HACKING AND CYBERSTALKING
289. The daily hacking by commissioned hackers on staff at Madonna.com as well as in the Kabbalah Centre is malicious, hateful and destructive and includes:
290. Madonna's hackers hacked Plaintiff’s Twitter page (see Exhibit C for notice from Twitter.com).
291. Madonna's hackers hacked and sent malicious viruses to an external hard drive containing Plaintiff’s forthcoming pharmaceutical drug patents.
292. Madonna's hackers sent terrible viruses to corrupt and destroy the data on the drive.
293. Plaintiff retained back up copies of the files and was able to reconstruct them, but it was time consuming, delaying vital patent and copyright work, aimed at saving sick people’s lives.
294. Based on computer intrusion patterns, Madonna's hackers, work in shifts, engaging in computer intrusion, shutting off Plaintiff’s computers every 20, 30 or 60 minutes, while she works on her computers.
295. Other malicious misconduct by Madonna's hackers includes moving the mouse around while Plaintiff works on her computers, in misconduct to make tasks, even the ones patent related aimed at saving sick people’s lives, very difficult and time consuming, in conduct that can only be described as depraved.
296. Madonna's hackers engage in daily hacking and corrupting of software drivers on Plaintiff’s computers to disable vital software programs, audio and video players, as well as the laptops' touchpads (built in laptop mouse).
297. Madonna's hackers engage in daily hacking, planting software Trojans on Plaintiff’s laptops and USB flash drives that connect to the internet, depositing malicious software code aimed at Plaintiff’s laptop that does not connect to the internet as it contains newer copyrights.
298. The malicious code Madonna's hackers illegally planted on Plaintiff’s infected USB flash drives (over the internet) orders the laptop that does not connect to the internet to attempt to connect to the internet.
299. However, a physical override switch that turns off “wifi“ and internet access on the Plaintiff’s laptop with the newer copyrights that does not go online, blocks the bad code from connecting the laptop to the internet without permission, which effectively scuppers the Defendants’ failed bids at sending a copy of Plaintiff‘s newer copyrights to themselves over the internet.
300. Madonna's hackers routinely corrupt touchpad drivers on Plaintiff’s laptops to cause them to quadruple click items instead of clicking once, which opens multiple windows and disrupts work.
301. Each time Plaintiff reinstalls and repairs it, Madonna's hackers send new malicious codes to Plaintiff’s laptop, via hacking associated USB flash drives, to corrupt the software again.
302. Madonna's hackers began maliciously flashing Plaintiff’s laptop screen when they wrongly assumed Plaintiff has epilepsy.
303. Plaintiff was doing research work on Epilepsy for a forthcoming patent.
304. Flashing lights are known to trigger seizures in many epilepsy sufferers.
305. There was a news report on CBS News dated May 8, 2008 entitled “Epilepsy Site Hacked With Seizure Images” in reference to the Epilepsy Foundation’s website being hacked by hackers, who illegally placed malicious flashing images to the Foundation’s website, to trigger potentially deadly seizures in children and adults reading the website.
306. Ken Lowbenberg, who is senior director of web and print publishing for the Epilepsy Foundation’s website stated of the depraved hackers, “They were out to create seizures.”
307. During illegal live hacking sessions in Plaintiff’s computers by Madonna's hackers, they move the scroll bar and up and down keys on Plaintiff’s computers throughout the day, while Plaintiff works, making it difficult to read items online.
308. Madonna's hackers also close out browser windows throughout the day and or disconnects Plaintiff from the internet via hacking.
309. Madonna's hackers repeatedly break into Plaintiff’s laptops that go online and install software Trojans and keystroke loggers to illegally record everything Plaintiff types, including passwords and financial information.
310. The illegal programs then transmit the data they illegally recorded to the Kabbalah Centre over the internet.
311. Each time the illegal programs are removed by Plaintiff, the Defendants resend them under new names and software forms, to continue invading the Plaintiff’s privacy.
312. Madonna's hackers installed software to the recycle bin (trash can) of Plaintiff’s computer to "undelete" and copy the contents of intellectual property and other sensitive data Plaintiff had deleted before logging onto the internet.
313. Plaintiff has since stopped authoring intellectual property on computers that connect to the internet.
314. However, the illegal computer intrusion continues to this very day to spy on Plaintiff’s business and personal transactions.
315. The Defendants have engaged business associates to file fraudulent DMCA complaints with web hosting providers, in failed criminal attempts at removing Plaintiff’s websites from the internet, as the sites expose criminal behavior by the Defendants and their business associates, some of whom have since been imprisoned in America and Britain.
316. Madonna's hackers repeatedly delete Plaintiff’s internet browser bookmark list to make her work more difficult.
317. Madonna's hackers spammed Go Daddy, Google, Google Blogspot, Google Adsense, Adbrite and PR websites with fraudulent items about Plaintiff’s articles, using different names for multiple complaints.
318. Madonna’s hackers flooded a hosting company with fraudulent emails, under different names, stating Plaintiff’s website JudiciaryReport.com has violated terms of service in spamming the public with emails.
319. However, Plaintiff’s website JudiciaryReport.com does not send out emails and has never done so since its inception in 2007.
320. It was an illegal, desperate and failed attempt by the Defendants to have the JudiciaryReport.com hosting account terminated, with the aim of having the website illegally taken off the internet, to silence the Plaintiff, violating her right to free speech.
321. Madonna's hackers spam Plaintiff’s websites with complaints, threats and abuse, using different names, but the emails have the same IP addresses.
322. Madonna's hackers hacked Plaintiff’s mobile phone as well as that of her mother, both units made by different mobile phone manufacturers.
323. The mobile phones have been infected with spyware software that has been removed, but keeps being reinfected by Madonna’s hackers.
324. The hacking is done to spy on Plaintiff and her family, as well as to menace and harass, blocking the phones from being updated with new software, music and videos or photos from being retrieved for upload online or download to computers.
325. Mobile phone numbers have been scrambled, calls cut off at key moments, background interference is heard on calls, as well as slamming noises, beeping sounds, static and other interference.
326. Madonna's hackers have on several occasions hacked Plaintiff’s mobile phone and that of her mother, commanding the mobile phones to call each other when they are not in use or in the hands of the Plaintiff or her mother.
327. Recently, Plaintiff and her mother placed their phones on a table and within minutes the telephones were hacked with one mobile phone calling the other, then vice versa, though no one was touching the mobile phone units.
328. Madonna's hackers hacked into Plaintiff’s mother's mobile phone and blocked her employer’s number in a bid to cause strife, offense and a conflict, when her employer was dismayed at why she was blocked.
329. Plaintiff’s mother did not block the number - it was hacked by Madonna's hackers, who placed a block on it.
330. Madonna's hackers broke into Plaintiff’s mother’s G-Mail email account connected to her mobile phone account (G-Mail sent Plaintiff’s mother a notice stating the account has been hacked).
331. Madonna's hackers hacked into Plaintiff’s email account and deleted important notices about court dates in an illegal effort to cause Plaintiff to miss hearing dates and force an involuntary dismissal in Plaintiff’s absence, regarding two civil cases Plaintiff had filed, which have been settled out of court.
332. Plaintiff has logged into her email account and within seconds witnessed as Madonna's hackers moved important domain renewal notices and legal notices into the recycle bin (trash bin) and tried to permanently delete them.
333. On other occasions, Madonna's hackers permanently deleted legal notices from the Court and lawyers.
334. Madonna’s hackers repeatedly target the batteries of Plaintiff’s laptops when she goes online, causing them to overheat, which is a fire hazard.
335. Plaintiff has seen this misconduct transpire and a computer she was working on inform her power surges were being sent to the unit, which was destabilizing the system.
336. The Defendants have illegally copied preexisting time stamped emails stored in Plaintiff’s email boxes they hacked and sent them to unauthorized individuals.
337. The Defendants have illegally copied preexisting time stamped emails from Plaintiff’s email boxes they hacked, containing rough drafts of forthcoming articles for Plaintiff’s websites and other original literary items (poor man’s copyright done prior to Library of Congress copyrighting of select items Plaintiff authors).
338. The Defendants then added their names to these preexisting, time stamped items they illegally copied from Plaintiff’s hacked email box, sending the items to ad agencies, blogs and pop culture sites such as TMZ.com as stories about them to be published online, as well as for topics on talk shows affiliated with the Defendants and an indie radio show based on questions posted to three Twitter accounts soliciting members of the public call into the show.
PROPERTY DAMAGE FROM HACKING
339. The Defendants’ destructive, commissioned hacking of Plaintiff’s business computers resulted in property damage, as the hacking in question damaged or destroyed:
340. A Toshiba laptop $1,000
341. A second Toshiba laptop $300
342. An Acer laptop $300
343. A Dell laptop $350
344. A custom built PC computer $500
345. A second custom built PC computer $600
346. An HP PC computer $600
347. A vintage MAC G3 computer from the recording studio of the late, legendary producer Clement “Coxsone” Dodd
348. An HP printer $100
349. A second HP printer $150
350. A Cannon Printer $100
351. A Brother printer $200
352. A Cannon Pixma printer $100
353. A Seagate external hard drive $100
354. A Western Digital hard drive $160
355. A $1,000 HTC EVO phone
356. A $600 Samsung S5 mobile phone
357. A microphone $100
358. = $6,260
359. The Defendants are engaging in ongoing phone hacking and wiretapping, using the contents of Plaintiff’s private texts, emails and conversations for financial gain.
360. Plaintiff is regularly stalked by Kabbalah Centre “chevre” on the orders of the Defendants and in a tactic prosecutors in the Anthony Pellicano criminal trial attributed to the Defendants’ private investigator, “chevre” repeat back at Plaintiff verbatim, items from her previous emails, texts and conversations they illegally read and listen in on, via the aforementioned misconduct.
361. Plaintiff has been subjected to a barrage of unwanted communications from the Kabbalah Center and its “chevre” on the instructions of Madonna.
362. An enormous amount of crank calls have been placed to Plaintiff’s unlisted telephone number by Kabbalah Centre “chevre.”
363. The calls have involved threats, veiled threats, heavy breathing and nonsensical statements.
364. Other crank calls included “chevre” stating “Is this Senator Ileana Ros-lehtinen’s office” and in the same voice calling back and asking for various other people Plaintiff does not know.
365. The Defendants engaged a menacing sounding company, Strong Arm Security, to repeatedly call Plaintiff’s unlisted telephone number as a threat, over her publicly speaking out on her website about their acts of copyright theft and harassment.
HACKING AND WEBCAM SPYING
366. The laws governing the state of Florida (and United States) stipulate one has a reasonable expectation of privacy in one’s home.
367. The Defendants engaged in a pattern of invasion of privacy via Madonna’s Kabbalah Centre hackers unlawfully hacking into Plaintiff’s laptops and illegally triggering/turning on the built-in webcams and audio micro, to perversely spy on Plaintiff and her family in their home, in various states of undress, via visual and audio means.
368. These are egregious, perverted, deeply depraved acts of voyeurism that is abominable, contemptible, despicable and vile, in conduct exhibited by sex offenders such as pedophiles and rapists.
369. The Defendants have arrogantly stalked and then boastfully bragged to Plaintiff that they are spying on her in her home via audio and visual means, repeating back at her verbatim things that were said and occurred privately in her home, where they were not physically present (but obtained this illegally via computer spying).
370. The Defendants have also illegally triggered the audio and video on Plaintiff’s phone and laptop that connect to the internet, to surreptitiously listen in on original music being recorded in her home studio on offline computers, attempting to steal more music and rush it into the marketplace before Plaintiff.
371. The only method of preventing visual webcam spying is placing opaque tape over the built-in webcam, which can be triggered by hackers who disable the on light.
372. However, laptop microphones are vital and must remain on, lest disabling them hampers Plaintiff’s work (Plaintiff is a musician and cannot have computers with no audio).
TEXTBOOK STALKER BEHAVIOR
373. Psychologists state stalkers engage in adverse and malicious conduct against victims on birthdays and holidays and Plaintiff has found this to be true.
374. Madonna’s hackers sent Plaintiff an emailed death threat on Valentine's Day, referring to Plaintiff as a “deranged nigger” with a threat to kill Plaintiff in a house fire.
375. Madonna sent actor Mike Epps to harass Plaintiff and her mother on her birthday at the Cheesecake Factory in Miami.
376. The entire night Epps and two hulking bodyguards kept staring at Plaintiff, then aggressive left the restaurant right behind Plaintiff, running in the direction of Plaintiff and her mother in the parking lot.
377. Upon information and belief, a credible industry source informed Plaintiff that Madonna told Epps to engage in this stalking and harassment, promising him he would be “taken care of” with “movie roles” in Hollywood films.
378. During another birthday, Madonna sent singer and Kabbalah Centre member, Chris Brown to track down Plaintiff in her former Miami Shores neighborhood not typically frequented by stars.
379. A year later, Brown did the same again at Madonna’s request.
380. Plaintiff was the victim of identity theft on Labor Day, where a malicious hacker from the Kabbalah Centre began using her debit card online to tie up the funds in her account.
381. Retailers informed the Plaintiff and her bank that it was malicious hacking and identity theft.
382. The hacker purchased hundreds of dollars worth of items at a Christian music store but filled in gibberish in the address fields for shipment and delivery of goods.
383. The hacker purchased MSN advertising and other items, but filled in gibberish in the address, telephone number and email fields.
384. Madonna’s hackers wanted it to appear that these were purchases the Plaintiff would make, but filled in no address, telephone number or email address (opting for gibberish), while engaging in this criminal conduct from the West Coast, as Plaintiff slept on the East Coast, when she received a call from the Star debit card company informing her she is a victim of identity theft.
385. The FBI discovered Plaintiff was a victim of identity theft and sent Plaintiff a letter to that effect.
386. Malicious identity theft was one of the criminal charges against Madonna’s private investigator, Anthony Pellicano, who had four hackers on staff engaging in this harassing misconduct to distress and terrorize victims of stalking.
387. Madonna's hackers send particularly terrible viruses to Plaintiff’s computers on her birthday, with the goal of wiping out the entire system for the day.
388. The public enjoys the convenience of online banking, but Plaintiff has been unable to use it, as the Defendants’ hackers committed identity theft in trying to maliciously wipe out one of Plaintiff’s bank accounts.
389. During a second incident, Plaintiff’s new bank had to lock the online account after she tried to use it, as another IP address made many attempts at guessing her password, after watching her type in her user name during a live hacking session.
390. The Defendants commissioned cyberstalking is so severe, Plaintiff does not communicate with family and friends on social networking, nor does she allow them to email her sensitive information, for their own protection.
391. Plaintiff put this personal policy in place after the Defendants’ perversely swiped emailed photos of Plaintiff’s family members, some of whom were minors and began using the pictures without permission, which is depraved.
392. Madonna’s hackers also began emailing Plaintiff pretending to be her sister’s mother and titling the emails “France” or “Spain” accurately reflecting where Plaintiff’s sister was teaching at each time.
393. Plaintiff and her family had only discussed her sister teaching in these places over Plaintiff’s illegally wiretapped phone.
394. Madonna’s hackers have also registered as Plaintiff on a number of websites, trying to deceive the public into thinking it was her, whilst making damaging statements online in bids at destroying the Plaintiff’s name.
“EMOTIONAL DISTRESS AND MENTAL ANGUISH”
395. The foregoing human rights and property rights violations listed in this action resulted in the Plaintiff sustaining permanent damage, as a direct and proximate cause of the Defendants’ conduct.
396. The Defendants conduct is unreasonable, irrational, intrusive, meddlesome, destructive and unwanted.
397. The Plaintiff has been stalked, threatened, physically and sexually assaulted, financial robbed, defrauded and spied on (as well as threatened with dogs).
398. As a result of the aforementioned abuses by the Defendants, Plaintiff experienced physical health problems in the form of a stress induced, life threatening aneurysm and immense emotional distress of a sustained nature from the thefts, stalking, harassment and assaults.
CAUSE OF ACTION
399. FIRST CAUSE OF ACTION - STALKING AND CYBER STALKING
400. Plaintiff repeats and realleges the allegations set forth above in paragraphs 1, 108, 128, 136, 143, 152, 160, 174, 180, 186, 187, 188, 191, 196, 203, 210, 211, 220, 225, 229, 230, 231, 241, 274, 369, 373, 377, 390 and 397 of this lawsuit as if set forth fully herein, as violations of Florida Statutes Chapter 784.048
401. SECOND CAUSE OF ACTION - INTRUSION UPON SECLUSION
402. Plaintiff repeats and realleges the allegations set forth above in paragraphs 221-224 of this lawsuit as if set forth fully herein, as violations of Florida Statutes Chapter 934.03
403. THIRD CAUSE OF ACTION – UNAUTHORIZED PUBLICATAION OF NAME OR LIKENESS
404. The Defendants’ hackers erected a terrible, defamatory, despicable website NatashaMusica.blogspot.com on Google’s Blogger, lying to the public that the site belonged to the Plaintiff, who at no time had any affiliation with the website or any involvement in its creation, content or maintenance.
405. NatashaMusica.blogspot.com contained incendiary articles about Al Qaeda terrorist group Boko Haram, in bids at endangering Plaintiff’s life and safety.
406. Plaintiff could have been killed, as was done to journalists at satirical magazine Charlie Hebdo in Paris, via the articles about Al Qaeda that were fraudulently published on NatashaMusica.blogspot.com under Plaintiff’s name.
407. NatashaMusica.blogspot.com also contained images of underage girls wearing partial school uniforms, but with all their private parts exposed, constituting child porn, posted in bids by the Defendants at destroying Plaintiff’s good name.
408. Plaintiff stumbled upon the site NatashaMusic.blogspot.com one day while searching online to ascertain who was linking her JudiciaryReport.com articles to other sites.
409. Plaintiff contacted the illegal site’s webhost, Google’s Blogger.com, who deleted NatashaMusica.blogspot.com from the internet, after email discussions with Plaintiff, who proved the site did not belong to her, though it bore her name, copyrighted site slogans, site header and some of her wholesome articles from the JudiciaryReport.com, SoundOffColumn.com and CelluloidFilmReview.com mixed in with incendiary content provoking Al Qaeda, as well as child porn.
410. To use Plaintiff’s name, image and likeness on a website without her permission is a violation of Plaintiff’s image rights, constituting violations of Florida Statutes Chapter 540.08.
411. FOURTH CAUSE OF ACTION - ASSAULT
412. Plaintiff repeats and realleges the allegations set forth above in this lawsuit in paragraphs 1, 149, 161, 162, 163, 166, 186 and 397 as if set forth fully herein, as violations of Florida Statutes Chapter 784.011
413. FIFTH CAUSE OF ACTION - VOYEURISM
414. Plaintiff repeats and realleges the allegations set forth above in this lawsuit in paragraphs 1 and 366-372, as if set forth fully herein, as violations of Florida Statutes Chapter 810.14
415. SIXTH CAUSE OF ACTION - SECURITY OF COMMUNICATIONS
416. Plaintiff repeats and realleges the allegations set forth above in this lawsuit in paragraphs 104,114, 173, 322-329, 359, 360 and 393, as if set forth fully herein, as violations of Florida Statutes Chapter 934.
SEVENTH CAUSE OF ACTION - COMPUTER RELATED CRIMES
417. Plaintiff repeats and realleges the allegations set forth above in paragraphs 31, 41, 42, 58, 59, 68, 76, 87, 96, 111, 118, 119, 173, 192, 213, 289-314, 316, 331-369, 366-372, 387-392 and 397 of this lawsuit as if set forth fully herein, as violations of Florida Statutes Chapter 815
EIGHTH CAUSE OF ACTION - BURGLARY AND TRESPASS
418. Plaintiff repeats and realleges the allegations set forth in paragraphs 120-123, 170 and 420-430 of this lawsuit as if set forth fully herein, as violations of Florida Statutes Chapter 810.02
NINTH CAUSE OF ACTION - REPLEVIN
419. The ninth cause of action is in reference to the Defendants willful violations of Florida Statutes Chapter 78.
420. The Defendants via Kabbalah Centre “chevre” violated Florida replevin statutes in illegally entering Plaintiff’s home during a series of break-ins and stealing computer DVD-ROM and CD-ROM discs containing preexisting copyrighted music, films, books, fashion lines, perfume lines and other intellectual property the Plaintiff authored and had already copyrighted in the Library of Congress.
421. Though Plaintiff has other copies of the DVD-ROMs and CD-ROMs stored in a safe place, all the discs belong to the Plaintiff and none of the copies belong in the possession of the Defendants, who have been using the contents verbatim in violation of the law.
422. During a commissioned break-in to Plaintiff’s home, where copies of copyrighted computer discs were stolen, the Kabbalah Centre intruders defaced, damaged and destroyed one of Plaintiff’s favorite, valuable pieces of artwork she painted.
423. Allergy medication was maliciously stolen from the Plaintiff’s home during one of the aforementioned break-ins commissioned by the Defendants.
424. Plaintiff is allergic to a number of known and potentially unknown allergens, as her medical records attested since childhood to the present.
425. The theft of the allergy medication, which has very little financial value and no narcotic effect, was conducted out of sheer malice to harm Plaintiff, as it would have left her stranded without allergy medication in the event of a medical emergency.
426. People have been known to die from allergic reactions when their allergy medication was not present.
427. In a very disturbing twist in this case, during the Defendants commissioned burglaries to steal preexisting copyrighted discs, sentimental baby pictures of the Plaintiff were also maliciously stolen.
428. In the entertainment industry, certain thuggish recording artists are engaging in a habit of stealing rivals’ chains as an alleged symbol of authority over them, then publicly bragging about it.
429. A unique Gucci pattern gold chain belonging to the Plaintiff, which she wore everyday as it is of sentimental value to her, was stolen out of her home, during the Defendants commissioned burglaries to steal copyrighted DVD-ROMs and CD-ROMs.
430. The chain was a gift given to Plaintiff’s mother to give to Plaintiff from a jeweler whose disabled son Plaintiff’s mother taught at a Miami school for the disabled.
431. After the Plaintiff went public with claims of commissioned burglaries by the Defendants to steal her newer, preexisting, unpublished copyrighted discs located in her Miami home, the Defendants’ bodyguard and head of security, Norman Osterbrook, was killed by Miami police after he broke into a Miami home and began rifling through the homeowner’s property, searching for a specific item to steal.
432. The Defendants’ now incarcerated private investigator, Anthony Pellicano, is also a known burglar and prior to him being sent to prison, he and thugs he paid would break into people’s homes and vehicles, deface their property in acts of malice and also installed audio bugs, hidden cameras, wiretapping equipment and computer Trojans, to spy on victims in every way, on behalf of Hollywood stars who hired him.
433. Police in London also uncovered the fact that individuals connected to Madonna and Anthony Pellicano in the phone hacking case, commissioned break-ins to the homes of journalists, entertainer and athletes, seeking private documents and items, for financial gain.
434. Further confirming this pattern of home invasion to steal protected copyrights, the founder of the Kabbalah Centre, Rabbi Philip Berg, was sued for breaking into the home of a deceased rabbi, stealing his unpublished copyrighted book manuscript and fraudulently publishing it as his own under his name.
435. The deceased rabbi’s family sued and prevailed in the case, where Berg frequently muttered and made strange statements in bids at excusing and justifying his unjustifiable, unlawful conduct.
PRAYER FOR RELIEF
436. Compensatory and punitive damages to be determined at trial.
437. Pre-judgment and post-judgment interest on such monetary relief
438. Equitable relief in the form of an injunction prohibiting the illicit conduct described herein.
439. For such other and further relief as the Court deems just and proper.
440. As a federal formality, this lawsuit has been sent to the FBI with a formal complaint of civil rights and human rights abuses.
“JUSTICE AND TRUTH” FILM
441. The contents of this legal action in its entirety will appear in the forthcoming film “Justice and Truth” www.JusticeAndTruth.com