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Thompson, with the assistance of this Court, may restore the assets of Gary Wayne
Thompson to their original value and the Complaint is further designed to deter
additional illegal conduct by the Racketeering Lawyer/former Guardian and Other
Racketeering Defendants.
2.2
This civil action is designed to break the RICO workbench of Mark Andrew
Gomez and the Other Racketeering Defendants. Unless substantially deterred, Mark
Andrew Gomez is in a position of creating additional RICO Enterprises and endangering
the financial resources of a larger number of people.
2.3
This Complaint contains causes of action necessary to restore the financial
damages caused by the wrongdoings of the Racketeering Lawyer/former Guardian and
the Other Racketeering Defendants. The Complaint seeks expenses of this litigation and
all types of damages allowed by law, including punitive damages that are designed to
deter the defendants from engaging in this type of conduct in the future.
2.4
Rhonda McClendon, as Guardian of Gary Wayne Thompson, made numerous
unsuccessful attempts to recover the financial damages that these defendants have caused
to Gary Wayne Thompson. Mark Andrew Gomez, at first refused to produce the records,
then, later, arrogantly refused to cooperate with an investigation into either his
wrongdoings or the wrongdoings of the Other Racketeering Defendants.
2.5
Mark Andrew Gomez, until this time continues to intentionally misrepresent
and conceal the criminal conduct that he and the Other Racketeering Defendants used to
steal money from the assets of Gary Wayne Thompson.
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