SCREEN

Profile

Menu Style

Cpanel
Headlines:

Honest Officials

Hunter Tyler Schreck Federal Lawsuit - Chapter 2

Shrek 10 BTS Facts Only All Stars Know featured image cropped 2 200w

Chapter 2 -- Hunter Tyler Schreck has filed a Mega-Million federal lawsuit in Amarillo, Texas for violation of his Constitutional rights. Hunter was almost murdered on June 24, 2020 by as many as 15 Amarillo, Texas Police officers and civilians. Hunter had done absolutely nothing. This is Chapter 2 of the story -- quotes directly from the verified complaint.

Hunter Schreck has filed his lawsuit pro se. He has named 58 Defendants and 100 John Doe Defendants (gangsters he will identify in discovery). If you want to read it all now, here is Civil Action No. 2-21CV-220-Z - Schreck v City of Amarillo, Et al. - Verified Complaint2-21CV-220-Z - Schreck v City of Amarillo, Et al. - Verified Complaint.

Shrek 10 BTS Facts Only All Stars Know featured image 640w



UNITED STATES DISTRICT COURT
FOR THE NORTHERN DISTRICT OF TEXAS

Civil Action No. 2-21-CV-220-Z

PARTIES

Schreck Hunter Mugshot 2021 06 25 200w  
Hunter Tyler Schreck  

1.           Hunter Tyler Schreck (“Plaintiff” or “Hunter” or Hunter Tyler Schreck”) is a citizen of the United States and is a resident of Randall County Texas.  He has given his mother, Marcie Schreck, his Statutory Durable Power of Attorney, referenced and incorporated herein. [EXHIBIT 25.]  Hunter Tyler Schreck and Marcie Schreck live at 6302 Oakcrest Lane, Amarillo, Texas 79109, 254-651-7078, This email address is being protected from spambots. You need JavaScript enabled to view it..  Hunter Tyler Schreck has an Autism Spectrum Disorder.  It is a neurological condition with three association impairments: social communication, social interaction, and social imagination/play. “Autism is a lifelong developmental disability, sometimes referred to as Autistic Spectrum Disorder (ASD) or Autistic Spectrum Condition (ASC).  Its causes are not fully understood, although there is some evidence that genetic factors are involved.  The term ‘spectrum’ is used because, while all people with autism share three main areas of difficulty, their condition affects them in different ways.  Some can live relatively independently – in some cases without any additional support – while others require a lifetime of specialist care.” [EXHIBIT 101.]

2.           Defendant City of Amarillo Texas (“CITY OF AMARILLO”) is a political subdivision of the state of Texas and a “person” subject to suit within the meaning of 42 U.S.C. § 1983.  The CITY OF AMARILLO is legally responsible for virtually all of the wrongdoing and crimes committed against HUNTER TYLER SCHRECK.  City of Amarillo Texas, 601 S Buchanan, Amarillo, Texas 79101, 806-378-3000, This email address is being protected from spambots. You need JavaScript enabled to view it..

3.           Amarillo Police Department (“AMARILLO POLICE DEPARTMENT”) is a political subdivision of the state of Texas and a “person” subject to suit within the meaning of 42 U.S.C. § 1983.  The AMARILLO POLICE DEPARTMENT is legally responsible for much of the wrongdoing and crimes committed against HUNTER TYLER SCHRECK.  Amarillo Police Department, 200 SE 3rd Avenue, Amarillo, Texas 79101, This email address is being protected from spambots. You need JavaScript enabled to view it., 806-378-3038.

Birkenfeld Martin 200w  
Chief Martin Birkenfeld  

4.           Chief Martin Birkenfeld (“CHIEF MARTIN BIRKENFELD”) was the Chief of Police of the Amarillo Police Department.  CHIEF MARTIN BIRKENFELD acted as Chief under authority given by the City of Amarillo and the laws of the State of Texas at the time these claims occurred.  CHIEF MARTIN BIRKENFELD was in charge of the operations and actions of the personnel in his employ.  CHIEF MARTIN BIRKENFELD had final authority to make policy for the Amarillo Police Department and has been delegated authority by CITY OF AMARILLO to create or execute a policy which governs the conduct of law enforcement officers and jail personnel as it relates to arrest, detention, determinations of probable cause, and bail.  At all times relevant, CHIEF MARTIN BIRKENFELD was acting under color of law.  He is sued in his individual capacity and his official capacity.  CHIEF MARTIN BIRKENFELD, Amarillo Police Department, 200 SE 3rd Avenue, Amarillo, Texas 79101, This email address is being protected from spambots. You need JavaScript enabled to view it., 806-378-3038.

5.           Defendant Randall County Texas (“RANDALL COUNTY”) is a political subdivision of the state of Texas and a “person” subject to suit within the meaning of 42 U.S.C. § 1983.  RANDALL COUNTY is legally responsible for much of the wrongdoing and crimes committed against HUNTER TYLER SCHRECK.  Christy Dyer is the County Judge, RANDALL COUNTY, 501 16th Street, Suite 305, Canyon, Texas 79015, 806-468-5500, This email address is being protected from spambots. You need JavaScript enabled to view it., This email address is being protected from spambots. You need JavaScript enabled to view it..

6.           Defendant Potter County Texas (“POTTER COUNTY”) is a political subdivision of the state of Texas and a “person” subject to suit within the meaning of 42 U.S.C. § 1983.  POTTER COUNTY conspired with NATHAN CARRINGTON to start this Criminal Racketeering Operation.  POTTER COUNTY, 500 S Fillmore, Amarillo, Texas 79101, 806-379-2246, This email address is being protected from spambots. You need JavaScript enabled to view it..

7.           Defendant Daniel Rivera (“Officer Daniel Rivera) is a natural person and was at all times relevant to this Complaint duly appointed and sworn as a police officer for the City of Amarillo in Amarillo, Randall County Texas.  At all times relevant hereto, Officer Daniel Rivera was acting under color of law, including when his actions were in violation of the laws of the State of Texas and the Constitutions and laws of the United States of America and Texas.  Officer Daniel Rivera is a named Defendant in his individual capacity and his official capacity.  As detailed herein, Officer Daniel Rivera committed significant wrongdoing, assaulted the PLAINTIFF repeatedly, attempted to murder him, and committed aggravated perjury.   Officer Daniel Rivera, Amarillo Police Department, 200 SE 3rd Avenue, Amarillo, Texas 79101, 806-378-3038.

8.           Defendant Samantha Fontenot (“Officer SAMANTHA FONTENOT) is a natural person and was at all times relevant to this Complaint duly appointed and sworn as a police officer for the City of Amarillo in Amarillo, Randall County Texas.  At all times relevant hereto, Officer SAMANTHA FONTENOT was acting under color of law, including when her actions were in violation of the laws of the State of Texas and the Constitutions and laws of the United States of America and Texas.  Officer SAMANTHA FONTENOT is a named Defendant in her individual capacity and her official capacity.  As detailed herein, Officer SAMANTHA FONTENOT committed significant wrongdoing, assaulted the PLAINTIFF repeatedly, attempted to murder him, and committed aggravated perjury.  Officer SAMANTHA FONTENOT, Amarillo Police Department, 200 SE 3rd Avenue, Amarillo, Texas 79101, 806-378-3038.

9.           Defendant Officer Allison Muncell (“Officer ALlISON MUNCELL) is a natural person and was at all times relevant to this Complaint duly appointed and sworn as a police officer for the City of Amarillo in Amarillo, Randall County Texas.  At all times relevant hereto, Officer ALlISON MUNCELL was acting under color of law, including when her actions were in violation of the laws of the State of Texas and the Constitutions and laws of the United States of America and Texas.  Officer ALlISON MUNCELL is a named Defendant in her individual capacity and her official capacity.  Officer ALlISON MUNCELL knew the PLAINTIFF is mentally disabled, but she said nothing. [EXHIBIT 100.]  Officer ALlISON MUNCELL, Amarillo Police Department, 200 SE 3rd Avenue, Amarillo, Texas 79101, 806-378-3038.

10.       Defendant Officer Matthew Brush (“Officer MATTHEW BRUSH) is a natural person and was at all times relevant to this Complaint duly appointed and sworn as a police officer for the City of Amarillo in Amarillo, Randall County Texas.  At all times relevant hereto, Officer MATTHEW BRUSH was acting under color of law, including when his actions were in violation of the laws of the State of Texas and the Constitutions and laws of the United States of America and Texas.  Officer MATTHEW BRUSH is a named Defendant in his individual capacity and his official capacity.  Officer MATTHEW BRUSH knew the PLAINTIFF is mentally disabled, but he said nothing. [EXHIBIT 101.]  Officer MATTHEW BRUSH, Amarillo Police Department, 200 SE 3rd Avenue, Amarillo, Texas 79101, 806-378-3038.

11.       Defendant Sergeant Anthony Merryman (“Sergeant ANTHONY MERRYMAN) is a natural person and was at all times relevant to this Complaint duly appointed and sworn as a police officer for the City of Amarillo in Amarillo, Randall County Texas.  At all times relevant hereto, Sergeant ANTHONY MERRYMAN was acting under color of law, including when his actions were in violation of the laws of the State of Texas and the Constitutions and laws of the United States of America and Texas.  Sergeant ANTHONY MERRYMAN is a named Defendant in his individual capacity and his official capacity.  Upon information and belief, Sergeant ANTHONY MERRYMAN is with Internal Affairs, which allegedly said there was no excessive force or police brutality.  Sergeant ANTHONY MERRYMAN and Internal Affairs at the AMARILLO POLICE DEPARTMENT are truly a criminal racketeering operation.  Sergeant ANTHONY MERRYMAN, Amarillo Police Department, 200 SE 3rd Avenue, Amarillo, Texas 79101, This email address is being protected from spambots. You need JavaScript enabled to view it., 806-378-4200.

12.       Defendant Detective Shea Lichtie (“Detective Shea LICHTIE”) is a natural person and was at all times relevant to this Complaint duly appointed and sworn as a police officer for the City of Amarillo in Amarillo, Randall County Texas.  At all times relevant hereto, Detective Shea LICHTIE was acting under color of law, including when his actions were in violation of the laws of the State of Texas and the Constitutions and laws of the United States of America and Texas.  Detective Shea LICHTIE is a named Defendant in his individual capacity and his official capacity.  Detective Shea LICHTIE committed Aggravated Perjury when he signed the Complaint against the PLAINTIFF.  Cocky Detective Shea LICHTIE told Marcie Schreck that Hunter was going to be prosecuted to the full extent of the law.  HUNTER TYLER SCHRECK wishes the same for Detective Shea LICHTIE.  Detective Shea LICHTIE, Amarillo Police Department, 200 SE 3rd Avenue, Amarillo, Texas 79101, 806-378-3038.

13.       Defendant Officer Daniel Smith (“Officer DANIEL SMITH”) is a natural person and was at all times relevant to this Complaint duly appointed and sworn as a police officer for the City of Amarillo in Amarillo, Randall County Texas.  At all times relevant hereto, Officer DANIEL SMITH was acting under color of law, including when his actions were in violation of the laws of the State of Texas and the Constitutions and laws of the United States of America and Texas.  Officer DANIEL SMITH is a named Defendant in his individual capacity and his official capacity.  Officer DANIEL SMITH was especially brutal in his physical attacks on the PLAINTIFF, and the joy he expressed should make any decent human being sick at their stomach.  Officer DANIEL SMITH appears to be dumber than a box of rocks, but that does not forgive him of his crimes.  Officer DANIEL SMITH, Amarillo Police Department, 200 SE 3rd Avenue, Amarillo, Texas 79101, 806-378-3038. 

14.       Officer Wiley D. Frazier, (“Officer WILEY D. FRAZIER”) is a natural person and was at all times relevant to this Complaint duly appointed and sworn as a police officer for the City of Amarillo in Amarillo, Randall County Texas.  At all times relevant hereto, Officer WILEY D. FRAZIER was acting under color of law, including when his actions were in violation of the laws of the State of Texas and the Constitutions and laws of the United States of America and Texas.  Officer WILEY D. FRAZIER is a named Defendant in his individual capacity and his official capacity.  Officer WILEY D. FRAZIER knew the PLAINTIFF is mentally disabled, but he said nothing.  Officer WILEY D. FRAZIER, Amarillo Police Department, 200 SE 3rd Avenue, Amarillo, Texas 79101, 806-378-3038.

15.       Officer Jason Bailey, (“OFFICER Jason BAILEY”) is a natural person and was at all times relevant to this Complaint duly appointed and sworn as a police officer for the City of Amarillo in Amarillo, Randall County Texas.  At all times relevant hereto, OFFICER Jason BAILEY was acting under color of law, including when his actions were in violation of the laws of the State of Texas and the Constitutions and laws of the United States of America and Texas.  OFFICER Jason BAILEY is a named Defendant in his individual capacity and his official capacity.  OFFICER Jason BAILEY, Amarillo Police Department, 200 SE 3rd Avenue, Amarillo, Texas 79101, 806-378-3038.

16.       Sergeant Jason Riddlespurger, (“Sergeant Jason RIDDLESPURGER”) is a natural person and was at all times relevant to this Complaint duly appointed and sworn as a police officer for the City of Amarillo in Amarillo, Randall County Texas.  At all times relevant hereto, Sergeant Jason RIDDLESPURGER was acting under color of law, including when his actions were in violation of the laws of the State of Texas and the Constitutions and laws of the United States of America and Texas.  Sergeant Jason RIDDLESPURGER is a named Defendant in his individual capacity and his official capacity.  Sergeant Jason RIDDLESPURGER, Amarillo Police Department, 200 SE 3rd Avenue, Amarillo, Texas 79101, 806-378-3038.

17.       Ryann Kass, (“RYANN KASS) is a natural person and was at all times relevant to this Complaint duly appointed and sworn as an employee for the City of Amarillo in Amarillo, Randall County Texas.  At all times relevant hereto, RYANN KASS was acting under color of law, including when her actions were in violation of the laws of the State of Texas and the Constitutions and laws of the United States of America and Texas.  RYANN KASS is a named Defendant in her individual capacity and her official capacity.  RYANN KASS, Amarillo Police Department, 200 SE 3rd Avenue, Amarillo, Texas 79101, 806-378-3038. [Amarillo Police Department, CHIEF MARTIN BIRKENFELD, Officer DANIEL RIVERA, Officer SAMANTHA FONTENOT, Officer ALlISON MUNCELL, Officer MATTHEW BRUSH, Sergeant ANTHONY MERRYMAN, Detective Shea LICHTIE, Officer DANIEL SMITH, Officer WILEY D. FRAZIER, OFFICER JASON BAILEY, SERGEANT JASON RIDDLESPURGER, RYANN KASS, and as-yet unidentified DOE Defendants are referred to jointly as the AMARILLO POLICE DEPARTMENT DEFENDANTS.]

18.       W. Brooks Barfield (“BROOKS BARFIELD”) is a named Defendant in his individual capacity.  BROOKS BARFIELD has spearheaded denial of due process rights to the PLAINTIFF, has committed malpractice in his fake representation of the PLAINTIFF, and has outrageously forced his client to have a mental Incompetency evaluation at the RANDALL COUNTY JAIL where his client was terrorized by officers of the AMARILLO POLICE DEPARTMENT.  He has acted as a Public Pretender, paid by and working for the State while doing a pathetic job of acting as if he was representing the PLAINTIFF.  BROOKS BARFIELD has made written threats to the PLAINTIFF and Marcie Schreck.  BROOKS BARFIELD needs to be disbarred.  BROOKS BARFIELD, Barfield Law Firm, 901 S Polk Street, Amarillo, Texas 79101 or 7514 Essex Court, Amarillo, Texas 79121, 806-468-9500, fax: 806-4568-9588, This email address is being protected from spambots. You need JavaScript enabled to view it., Bar Number 00783597.

19.       Samantha Wilson (“SAMANTHA WILSON”) is a named Defendant in her individual capacity.  SAMANTHA WILSON has withheld evidence from the PLAINTIFF and has assisted BROOKS BARFIELD in his wrongdoing.  SAMANTHA WILSON, Barfield Law Firm, 901 S Polk Street, Amarillo, Texas 79101, 806-468-9500 This email address is being protected from spambots. You need JavaScript enabled to view it..

20.       Jubilee Apostolic Church of Amarillo, Texas, Inc. (“Jubilee Apostolic Church) is a named Defendant in its corporate capacity and individual capacity.  Jubilee Apostolic Church of Amarillo, Texas, Inc. is a “person” subject to suit within the meaning of 42 U.S.C. § 1983.  Upon information and belief, leaders of the Jubilee Apostolic Church masterminded the Criminal Racketeering Enterprise.  Jubilee Apostolic Church, c/o Royce D. Elms, Registered Agent, 6701 Woodward, Amarillo, Texas 79106, 806-355-1717, This email address is being protected from spambots. You need JavaScript enabled to view it..  Upon information and belief, Royce D. Elms has been deceased since 2010, but the Texas Secretary of State has him listed as Registered Agent, so Jubilee Apostolic Church may not be a valid corporation.  The PLAINTIFF seeks to have the charter revoked.  (https://www.rectorfuneralhome.com/obituary/2282928Jubilee Apostolic Church claims to be a non-profit corporation, 501c3.

21.       Nathan Carrington (“NATHAN CARRINGTON”) is a citizen of the United States and is a resident of Potter County Texas.  NATHAN CARRINGTON, Pastor of Jubilee Apostolic Church is a named Defendant in his individual capacity.  Upon information and belief Nathan Carrington is the “mastermind” behind the Criminal Racketeering Enterprise that developed and implemented a scheme to destroy the PLAINTIFF’s life.  The evidence shows that NATHAN CARRINGTON made false reports to the police, viciously defamed the PLAINTIFF, and coordinated the June 24, 2020 attempted murder of the PLAINTIFF because he didn’t like the idea of an Autistic young man with Asperger’s and other mental issues being interested in courting his daughter.  Meanwhile, NATHAN CARRINGTON conducts church services where he and his followers speak in tongues, allegedly charm snakes, and play games where they turn out all the lights and try to find someone by feeling around on the bodies they encounter.  NATHAN CARRINGTON, 19960 Clear Sky Trail, Bushland, Texas 79012, This email address is being protected from spambots. You need JavaScript enabled to view it., 806-339-3763, This email address is being protected from spambots. You need JavaScript enabled to view it..

22.       Rolonda Carrington (“rolonda CARRINGTON”) is a citizen of the United States and is a resident of Potter County Texas.  rolonda CARRINGTON is a named Defendant in her individual capacity.  rolonda CARRINGTON has participated in all the wrongdoing of her husband, NATHAN CARRINGTON.  She has committed perjury, has filed false police reports, and has defamed the PLAINTIFF.  rolonda CARRINGTON, 19960 Clear Sky Trail, Bushland, Texas 79012, This email address is being protected from spambots. You need JavaScript enabled to view it..

Carrington Nataley Facebook 2 cropped 200h  
Nataley Carrington  

23.       Nataley Carrington (“NATALEY CARRINGTON”) is a citizen of the United States and is a resident of Potter County Texas.  NATALEY CARRINGTON is a named Defendant in her individual capacity.  The PLAINTIFF has never spoken with her, but he wrote on a website that he thought she was “beautiful.”  That is apparently a crime with snake charmers and people who talk gibberish.  NATALEY CARRINGTON has committed perjury and has defamed the PLAINTIFF.  NATALEY CARRINGTON, 19960 Clear Sky Trail, Bushland, Texas 79012, This email address is being protected from spambots. You need JavaScript enabled to view it..

24.       Aaron Charles Gurule (“AARON GURULE”) is a named Defendant in his individual capacity. AARON GURULE is a scary man who has participated in all the wrongdoing of his leader, NATHAN CARRINGTON.  AARON GURULE, 6324 Sunlake Drive, Amarillo, Texas 79124 or Assistant Pastor, Jubilee Apostolic Church, 5804 Erik Avenue, Amarillo, Texas 79106, 806-355-1717, This email address is being protected from spambots. You need JavaScript enabled to view it..

25.       Dana Gurule (“DANA GURULE”) is a named Defendant in her individual capacity.  DANA GURULE is a scary woman who, upon information and belief, has participated in all the wrongdoing of her leaders, NATHAN CARRINGTON and AARON GURULE.  DANA GURULE, 6324 Sunlake Drive, Amarillo, Texas 79124 or c/o Jubilee Apostolic Church, 5804 Erik Avenue, Amarillo, Texas 79106, 806-355-1717, This email address is being protected from spambots. You need JavaScript enabled to view it..

26.       Maria Veronica Canales (“MARIA VERONICA CANALES”) is a named Defendant in her individual capacity.  MARIA VERONICA CANALES, 307 N Lamar, Amarillo, Texas 79106, 806-680-9976, This email address is being protected from spambots. You need JavaScript enabled to view it., This email address is being protected from spambots. You need JavaScript enabled to view it., This email address is being protected from spambots. You need JavaScript enabled to view it..

27.       Victor Pimentel (“VICTOR PIMENTEL”) is a named Defendant in his individual capacity.  VICTOR PIMENTEL, 307 N Lamar, Amarillo, Texas 79106, 806-680-9976, This email address is being protected from spambots. You need JavaScript enabled to view it., This email address is being protected from spambots. You need JavaScript enabled to view it., This email address is being protected from spambots. You need JavaScript enabled to view it., This email address is being protected from spambots. You need JavaScript enabled to view it..

28.       George Hastings (“GEORGE HASTINGS”) is a named Defendant in his individual capacity.  GEORGE HASTINGS, c/o Jubilee Apostolic Church, 5804 Erik Avenue, Amarillo, Texas 79106, 806-355-1717.

29.       Deborah Rauh (“DEBORAH RAUH”) is a named Defendant in her individual capacity.  DEBORAH RAUH, c/o Jubilee Apostolic Church, 5804 Erik Avenue, Amarillo, Texas 79106, 806-355-1717.

30.       Dr. Ron Rankin (“DR. RON RANKIN”) is a named Defendant in his individual capacity.  DR. RON RANKIN, Calvary Gospel Church, 601 S Cleveland Street, Amarillo, Texas 79102, 806-381-3449, This email address is being protected from spambots. You need JavaScript enabled to view it..

31.       Leann Rhimes (“Leann Rhimes”) is a named Defendant in her individual capacity.  Leann Rhimes, Calvary Gospel Church, 601 S Cleveland Street, Amarillo, Texas 79102, 806-381-3449, This email address is being protected from spambots. You need JavaScript enabled to view it..

32.       Samona Pearson (“SAMONA PEARSON”) is a named Defendant in her individual capacity.  SAMONA PEARSON, Calvary Gospel Church, 601 S Cleveland Street, Amarillo, Texas 79102, 806-381-3449, This email address is being protected from spambots. You need JavaScript enabled to view it..

33.       Margaret Pearson (“MARGARET PEARSON”) is a named Defendant in her individual capacity.  MARGARET PEARSON, Calvary Gospel Church, 601 S Cleveland Street, Amarillo, Texas 79102, 806-381-3449, This email address is being protected from spambots. You need JavaScript enabled to view it..

34.       Timothy Bailey (“TIMOTHY BAILEY”) is a named Defendant in his individual capacity.  TIMOTHY BAILEY, Calvary Gospel Church, 601 S Cleveland Street, Amarillo, Texas 79102, 806-381-3449, This email address is being protected from spambots. You need JavaScript enabled to view it..

35.       Ileta Bailey (“ILETA BAILEY”) is a named Defendant in her individual capacity. ILETA BAILEY, Calvary Gospel Church, 601 S Cleveland Street, Amarillo, Texas 79102, 806-381-3449, This email address is being protected from spambots. You need JavaScript enabled to view it.. [Jubilee Apostolic Church, NATHAN CARRINGTON, ROLONDA CARRINGTON, NATALEY CARRINGTON, AARON GURULE, DANA GURULE, MARIA VERONICA CANALES, VICTOR PIMENTEL, DEBORAH RAUH, Dr. Ron Rankin, Leann Rhimes, Samona Pearson, Margaret Pearson, Timothy Bailey, Ileta Bailey are referred to jointly as the PENTECOSTAL DEFENDANTS.]

36.       Adriana Cortez (“ADRIANA CORTEZ”) is a named Defendant in her individual capacity.  ADRIANA CORTEZ, 7404 Albany Drive Amarillo, Texas 79118, 806-367-2941.  Friend of Brayan ZubiaTe.

37.       Angelica Esparza (“ANGELICA ESPARZA”) is a named Defendant in her individual capacity.  Angelia Esparza is believed to be the ringleader of the VOLLEYBALL DEFENDANTS who was especially instrumental in the June 24, 2020 attack.  She was there when the attack took place.  She has committed all types of wrongdoing, including defamation, filing false police reports, aggravated perjury, harassment, and Criminal Racketeering.  She is a friend of Brayan ZubiaTe, one of the June 24, 2020 mob participants, and he has shown support for the PENTECOSTAL CHURCH.  ANGELICA ESPARZA c/o Dave Blount, Randall County District Attorney’s Office, 2309 Russell Long Boulevard, Suite 120, Canyon, Texas 79015, 806-731-9973, angelicagabrielle92@yahoo<span< a=""> style="color:black;background-image:initial;background-position:initial;background-size:initial;background-repeat:initial;background-attachment:initial;background-origin:initial;background-clip:initial">.com.

38.       Brayan Zubiate (“BRAYAN ZUBIATE”) is a named Defendant in his individual capacity.  BRAYAN ZUBIATE is one of the June 24, 2020 mob participants, and he has shown support for the PENTECOSTAL CHURCH.  He participated in the conspiracy and is believed to have committed a number of crimes, including assault.  BRAYAN ZUBIATE, 703 Pittsburg Street, Amarillo, Texas 79104, 806-690-2229.  Friend of Adriana Cortez and ANGELICA ESPARZA.

39.       Chris Boroughs (“CHRIS BOROUGHS”) is a named Defendant in his individual capacity.  He was at the assault on June 24, 2020, and he has committed perjury and has filed false police reports.  CHRIS BOROUGHS, 7105 McClary Street, Amarillo, Texas 79108, 806-654-4473.

40.       Christian Morgan (“CHRISTIAN MORGAN”) is a named Defendant in his individual capacity.  He was at the assault on June 24, 2020, and he has committed perjury and has filed false police reports.  CHRISTIAN MORGAN, 283 Overland Trail, Fritch, Texas 79036, 806-500-8685.

41.       Mariah Rose Murillo (“MARIAH ROSE MURILLO”) is a named Defendant in her individual capacity.  MARIAH ROSE MURILLO, 3204 Trigg Street, Amarillo, Texas 79103 or 238 Overland, Fritch, Texas or c/o Dave Blount, Randall County District Attorney’s Office, 2309 Russell Long Boulevard, Suite 120, Canyon, Texas 79015, 806-382-2347, dafelonyThis email address is being protected from spambots. You need JavaScript enabled to view it..

42.       Nyah Gonzalez (“NYAH GONZALEZ”) is a named Defendant in her individual capacity.  NYAH GONZALEZ, 917 S Highland Street, Amarillo, Texas 79103 or AOMS Pediatric and Children’s Dentistry, 5051 Soncy Road, Amarillo, Texas 79119, 806-803-9452.

43.       Andres Soria (“ANDRES SORIA”) is a named Defendant in his individual capacity.  ANDRES SORIA c/o NYAH GONZALEZ, 917 S Highland Street, Amarillo, Texas 79103.  [ADRIANA CORTEZ, ANGELICA ESPARZA, BRAYAN ZUBIATE, CHRIS BOROUGHS, CHRISTIAN MORGAN, MARIAH ROSE MURILLO, and NYAH GONZALEZ, and ANDRES SORIA are referred to jointly as the VOLLEYBALL DEFENDANTS.]

44.       Deputy Sheriff Dennis Green (“Deputy Sheriff Dennis Green”) is a natural person and was at all times relevant to this Complaint duly appointed and sworn as a law enforcement officer for Potter County in Amarillo, Potter County Texas.  At all times relevant hereto, Deputy Sheriff Dennis Green was acting under color of law, including when his actions were in violation of the laws of the State of Texas and the Constitutions and laws of the United States of America and Texas.  Deputy Sheriff Dennis Green is a named Defendant in his individual capacity and his official capacity.  Deputy Sheriff Dennis Green, Potter County Sheriff’s Department, 13103 NE 29th Avenue, Amarillo, Texas 79111, 806-379-2900, This email address is being protected from spambots. You need JavaScript enabled to view it., This email address is being protected from spambots. You need JavaScript enabled to view it..

45.       Randall County District Attorney’s Office (“Randall County DISTRICT ATTORNEY’S OFFICE”) is a political subdivision of the State of Texas and a “person” subject to suit within the meaning of 42 U.S.C. 1983.  The Randall County DISTRICT ATTORNEY’S OFFICE has committed all types of wrongdoing, conspiracy, RICO violations, criminal racketeering, perjury, subornation of perjury, destruction and denial of evidence, generation of a false indictment, violation of the laws regarding indictments, and more.  Randall County District Attorney’s Office, 2309 Russell Long Boulevard, Suite 120, Canyon, Texas 79015, 806-468-5570.

46.       Robert Love (“ROBERT LOVE”) was at all times relevant the District Attorney in Randall County Texas.  ROBERT LOVE was in charge of the operations and actions of the personnel under her supervision.  ROBERT LOVE is sued in his individual capacity and his official capacity.  ROBERT LOVE has committed all types of wrongdoing, conspiracy, RICO violations, criminal racketeering, perjury, subornation of perjury, destruction and denial of evidence, generation of a false indictment, violation of the laws regarding indictments, and more.  ROBERT LOVE, Randall County District Attorney, 2309 Russell Long Boulevard, Suite 120, Canyon, Texas 79015, 806-468-5570, This email address is being protected from spambots. You need JavaScript enabled to view it..

47.       Dave Blount (“DAVE BLOUNT”) was at all times relevant the Assistant District Attorney in Randall County Texas.  DAVE BLOUNT is sued in his individual capacity and his official capacity.  DAVE BLOUNT has committed all types of wrongdoing, conspiracy, RICO violations, criminal racketeering, perjury, subornation of perjury, destruction and denial of evidence, generation of a false indictment, violation of the laws regarding indictments, and more.  He has violated numerous provisions of the Texas Rules of Professional Conduct, the Texas Rules of Civil Procedure, and Texas Rules of Criminal Procedure.  DAVE BLOUNT, Randall County District Attorney, 2309 Russell Long Boulevard, Suite 120, Canyon, Texas 79015, 806-468-5570, dafelonyThis email address is being protected from spambots. You need JavaScript enabled to view it., This email address is being protected from spambots. You need JavaScript enabled to view it., This email address is being protected from spambots. You need JavaScript enabled to view it., This email address is being protected from spambots. You need JavaScript enabled to view it., This email address is being protected from spambots. You need JavaScript enabled to view it., This email address is being protected from spambots. You need JavaScript enabled to view it..

48.       Randall County Clerk of Court’s Office (“Randall County Clerk of Court’s Office”) is a political subdivision of the state of Texas and a “person” subject to suit within the meaning of 42 U.S.C. 1983.  Randall County Clerk of Court’s Office, 2309 Russell Long Boulevard, Suite 110, Canyon, Texas 79015, This email address is being protected from spambots. You need JavaScript enabled to view it., 806-468-5600.

49.       Joel Forbis (“JOEL FORBIS”) was at all times relevant the Clerk of Court in Randall County Texas.  He was in charge of the operations and actions of the personnel under his supervision.  JOEL FORBIS is sued in his individual capacity and his official capacity.  JOEL FORBIS, Randall County Clerk of Court’s Office, 2309 Russell Long Boulevard, Suite 110, Canyon, Texas 79015, 806-468-5600, This email address is being protected from spambots. You need JavaScript enabled to view it..

50.       Randall County District Courts (“Randall County District Courts”) is a political subdivision of the state of Texas and a “person” subject to suit within the meaning of 42 U.S.C. 1983.  Randall County District Courts, 2309 Russell Long Boulevard, Canyon, Texas 79015, 806-468-5677.

Schaap Judge Dan 200w  
Judge Dan L. Schaap  

51.       Judge Dan L. Schaap (“JUDGE DAN L. SCHAAP”) was at all times relevant a judge in the Randall County District Courts.  He was in charge of the operations and actions of the personnel under his supervision.  JUDGE DAN L. SCHAAP is sued in his individual capacity and his official capacity.  JUDGE DAN L. SCHAAP, Randall County District Courts, 2309 Russell Long Boulevard, Canyon, Texas 79015, 806-468-5677.

52.       Judge Ana Estevez (“JUDGE ANA ESTEVEZ”) was at all times relevant a judge in the Randall County and Potter County District Courts.  She was in charge of the operations and actions of the personnel under her supervision, including Judge Dan L. Schaap.  JUDGE ANA ESTEVEZ is sued in her individual capacity and her official capacity.  JUDGE ANA ESTEVEZ, Randall County District Courts, 2309 Russell Long Boulevard, Canyon, Texas 79015, 806-468-5563.

53.       Angela Johnson (“ANGELA JOHNSON”) was at all times relevant a Court Administrator for JUDGE ANA ESTEVEZ in the Randall County and Potter County District Courts.  See acted on behalf of JUDGE ANA ESTEVEZ.  ANGELA JOHNSON is sued in her individual capacity and her official capacity.  ANGELA JOHNSON, Randall County District Courts, 2309 Russell Long Boulevard, Canyon, Texas 79015, 806-468-5563, This email address is being protected from spambots. You need JavaScript enabled to view it..

54.       Justice of the Peace (name unknown) (“JUSTICE OF THE PEACE”) was at all times relevant a justice of the peace in the Randall County District Courts.  This Magistrate signed a Magistrate’s Warning on 6/25/2020.   The Justice of the Peace is sued in his individual capacity and his official capacity.  JUSTICE OF THE PEACE in Hunter Tyler Schreck Case, Randall County District Courts, 2309 Russell Long Boulevard, Canyon, Texas 79015, 806-468-5677. [Randall County DISTRICT ATTORNEY’S OFFICE, JUSTICE OF THE PEACE, JUDGE DAN L. SCHAAP, Randall County District Courts, JOEL FORBIS, Randall County Clerk of Court’s Office, DAVE BLOUNT, ROBERT LOVE, and the Randall County DISTRICT ATTORNEY’S OFFICE are referred to jointly as the Randall County COURT DEFENDANTS.]

55.       Randall County Jail (“RANDALL COUNTY JAIL”) is a political subdivision of the state of Texas and a “person” subject to suit within the meaning of 42 U.S.C. § 1983.  RANDALL COUNTY JAIL, 9100 South Georgia Avenue, Amarillo, Texas 79118, This email address is being protected from spambots. You need JavaScript enabled to view it., 806-468-5752.

56.       Dr. Thomas Martin (“DR. Thomas MARTIN”) is an Emergency Room doctor at Baptist St. Anthony Hospital.  He is sued in his individual capacity and his official capacity.  DR. Thomas MARTIN, Baptist St. Anthony Hospital, 1600 Wallace Boulevard, Amarillo, Texas 79106, 806-212-2000.

57.       Baptist St. Anthony Hospital (“Baptist St. Anthony Hospital”) is a “person” subject to suit within the meaning of 42 U.S.C. § 1983.  Baptist St. Anthony Hospital denied medical care for the PLAINTIFF after the assault.  Baptist St. Anthony Hospital, 1600 Wallace Boulevard, Amarillo, Texas 79106, 806-212-2000.

58.       Exceptional Emergency Center (“Exceptional Emergency Center”) is an emergency center, a “person” subject to suit within the meaning of 42 U.S.C. § 1983.  Exceptional Emergency Center denied medical care for the PLAINTIFF after the assault.  Exceptional Emergency Center, 5800 S Coulter Street, Amarillo, Texas 79119, 806-414-4768.

59.       Dr. Thomas Mercado (“DR. Thomas Mercado”) is an Emergency Room doctor at Exceptional Emergency Center.  He is sued in his individual capacity and his official capacity.  DR. Thomas Mercado, Exceptional Emergency Center, 5800 S Coulter Street, Amarillo, Texas 79119, This email address is being protected from spambots. You need JavaScript enabled to view it., 806-414-4768.

60.       Dr. Gina Matteson (“DR. Gina Matteson”) is a Psychiatrist.  She is sued in her individual capacity and her official capacity.  DR. Gina Matteson violated the rights of HUNTER TYLER SCHRECK by requiring him to attend an unlawfully ordered competency evaluation at the RANDALL COUNTY JAIL.  She inflicted pain and suffering on the PLAINTIFF, and she violated the PLAINTIFF’s rights by refusing to provide a copy of the PLAINTIFF’s medical report but provided it secretly to JUDGE DAN L. SCHAAP.  DR. Gina Matteson, 7308 Fleming Avenue, Amarillo, Texas 79106, This email address is being protected from spambots. You need JavaScript enabled to view it., 412-605-4866.

61.       Does 1-100 (“DOES”) are unknown at this time. Does 1-100 are sued in their individual capacities and their official capacities.
 
(to be continued....)



Other Articles about Hunter Tyler Schreck:

Hunter Tyler Schreck - a Disabled Young Man - has been Victimized by Police, District Attorney, and Pentecostal Church Members in Amarillo Texas

Just Like the Man who has Done Nothing Wrong by Hunter Tyler Schreck

Hunter Tyler Schreck Federal Lawsuit - Chapter 1

Hunter Tyler Schreck Federal Lawsuit - Chapter 2

Hunter Tyler Schreck Federal Lawsuit - Chapter 3

Hunter Tyler Schreck Federal Lawsuit - Chapter 4

Hunter Tyler Schreck Federal Lawsuit - Chapter 5

 

Copyright LawlessAmerica.com




Bill Windsor went to high school and college in Lubbock, Texas -- just a short drive from Amarillo, Texas.  This gives him a special interest in exposing the scum in the area of the country that he has loved so much. 



windsor bill 2014 10 28 mugshot ellis county jail 200w

Bill Windsor


I, William M. Windsor, am not an attorney.  This website expresses my OPINIONS.   The comments of visitors or guest authors to the website are their opinions and do not therefore reflect my opinions.  Anyone mentioned by name in any article is welcome to file a response.   This website does not provide legal advice.  I do not give legal advice.  I do not practice law.   This website is to expose government corruption, law enforcement corruption, political corruption, and judicial corruption.   Whatever this website says about the law is presented in the context of how I or others perceive the applicability of the law to a set of circumstances if I (or some other author) was in the circumstances under the conditions discussed.  Despite my concerns about lawyers in general, I suggest that anyone with legal questions consult an attorney for an answer, particularly after reading anything on this website.  The law is a gray area at best.  Please read our  Legal Notice and Terms

http://www.LawlessAmerica.com

This email address is being protected from spambots. You need JavaScript enabled to view it. 

https://www.youtube.com/c/lawlessamericamovie

https://www.facebook.com/billwindsor1/

Copyright, 2021, Lawless America


#LawlessAmerica
#WilliamMWindsor
#BillWindsor
#scumbags
#HunterTylerSchreck
#HunterSchreck
#MarcieSchreck
#RandallCounty
#RandallCountyTexas
#Amarillo
#AmarilloTexas
#WBrooksBarfield
#brooksbarfield
#traumaticbraininjury
#amarillopolice
#amarillopolicedepartment
#DanielRivera
#AllisonMuncell
#matthewbrush
#SheaLitchie
#danielsmith
#JubileeChurch
#johnstiffmemorialpark
#davidblount
#daveblount
#nathancarrington
#rolondacarrington
#nataleycarrington
#jubileeapostolicchurch
#angelicaesparza
#brayanzubiate
#ChristianMorgan
#VictorPinentel
#AaronGurule
#DanaGurule
#georgehastings
#dennisgreen
#jbeghtel
#vpadilla
#jtinsley
#sgthaley
#samanthabowman
#samanthafontenot
#SamanthaBowmanFontenot
#bushland
#BushlandTexas





Judges

Judicial Corruption is rampant.  Our rights to a fair trial are a myth.  Many judges are totally corrupt.

Constitution

Our fundamental rights have been taken away by a government of wrongs. Stolen by corruption.

Attorneys

Misconduct is everywhere. Dishonesty abounds. Perjury, subornation of perjury, corruption!

Police

Abuse, Dishonesty, Corruption.  It's all common with Police and Law Enforcement.

Government

Government Dishonesty is Bad.
We must find honest people
and make them accountable
to We the People.