Stew Webb Plaintiff Vs. Evergy Defendant Smart Meter Removal 2021-12-21
Please copy and past links in your browser to view pictures in original filings:
http://www.stewwebb.com/Evergy-Suit-2021-12-21.pdf
http://www.stewwebb.com/Evergy-order-of-protection-to-pull-smart-meter 2021-12-21.pdf
Call to Evergy to pull smart meter
Missouri Laws Smart Meter Monitoring
https://house.mo.gov/billtracking/bills151/hlrbillspdf/2456H.01I.pdf
Evergy-Suit-2021-12-21
IN THE UNITED STATES DISTRICT COURT
FOR THE WESTERN DISTRICT OF MISSOURI
CIVIL DIVISION CASE Number: _____________________________
Filed Monday December 21, 2021
Stewart A. Webb,
816-492-9809
PO Box 472
Oak Grove, Missouri 64075
federalwhistleblower@gmail.com
Evergy Customer Account Number: 4327169751
1000 S.E. Prairie Lane #19
Oak Grove, MO. 64075
Plaintiff,
VS.
Evergy
Electric Utility Company
P.O. Box 219703
Kansas City, MO. 64121-9703
ebill@billing.evergy.com
816-471-5275
888-471-5275
888-544-4852
Defendants,
Complaint
In Law and Equity
For Immediate Restraining Order
And Order of Protection to Pull Smart Meter
(Separate order to be signed by a Judge in this court filed with this Complaint)
COMPLAINT FOR INJUNCTIVE RELIEF
NOW COMES the Plaintiff, Stewart A. Webb (Stew Webb herein) appearing pro se and in forma pauperis and herein, upon information and belief and established facts, and for his causes of action against all named and unnamed Defendants alleges and states the following:
JURISDICTION AND VENUE
STATEMENT OF THE CASE
Plaintiff wishes to notice the Court and that it would be a MISPRISION OF FELONY under 18 USC 4 to fail to disclose felonious acts that have been witnessed by or that have come to the attention of the Plaintiff Stewart Webb.
COMES NOW, the Plaintiff, Stewart A. Webb, pro se, and moves the District Court to enter orders directing the Court to hear allegations and testimony of the Plaintiff and others, concerning the above named and Yet unnamed Defendants and their participation in a Continuous Criminal Enterprises, Racketeering Influence Corruption Organization (RICO), 18 USC 1512 Engaging in Misleading Conduct, 42 USC 1983, 1985, 1986, 1987 Civil Rights and Whistle blower case laws, 18 USC 35 Imparting or conveying false information, Fraud, Plaintiff’s federal claim arises pursuant to the Federal Whistleblowers Act/Judicial act 31 USC 3729 through 3732, including violations of Missouri Revised Statues as follows:
Further Jurisdiction is invoked pursuant to 28 U.S.C. 1343(a)(3) and 42 U.S.C. 1983-1985.
Therefore, premises considered, this action is properly grounded in both jurisdiction and venue under the Federal Rules of Criminal Procedure (F.R.Cr.P.)
18 USC 4 Federal Reporting Crime Act (whoever having knowledge of the actual commission of a felony cognizable by a court of the united States, conceals and does not, as soon as possible, make known the same to some judge or other person in civil or military authority under the united States shall be fined not more than $500.00 or imprisoned not more than three years or both).
FIRST REGULAR SESSION
HOUSE BILL NO.1175
98TH GENERAL ASSEMBLE
AN ACT
To amend chapter 386, RSMo, by adding thereto one new section relating to the use of smart meters, with a penalty provision.
Be it enacted by the General Assembly of the state of Missouri, as follows:
386.825, to read as follows:
Line 45 (7) A customer may opt out of any electronic monitoring and a smart meter usage on his or her property by providing a written signed declaration to his or her utility which clearly states his or her desire to opt out of electronic monitoring and smart meter usage on his or her property. If a customer opts out of electronic monitoring the utility shall then provide an analog meter for the customer at no additional charge. No utility shall induce or entice any such waiver by the promise of any monetary gain or a reduction in electrical billing charges.
See: Please click on link below
FIRST REGULAR SESSION
HOUSE BILL NO.1175
98TH GENERAL ASSEMBLE
AN ACT
To amend chapter 386, RSMo, by adding thereto one new section relating to the use of smart meters, with a penalty provision.
Be it enacted by the General Assembly of the state of Missouri, as follows:
386.825, to read as follows:
http://www.stewwebb.com/2456H.01I.pdf
https://house.mo.gov/billtracking/bills151/hlrbillspdf/2456H.01I.pdf
AFFIDAVIT IN SUPPORT OF
Plaintiff Stewart Webb COMPAINT
I hereby make this Affidavit to be true to the best of my knowledge and belief this date December 21, 2021.
Plaintiff wishes to bring forth evidence to the Court concerning crimes, which have been committed against the Plaintiff Stewart Webb. Plaintiff will show through (evidence herein incorporated below) and testimony that various felonious acts including Perjury to illegally charge the Plaintiff Stewart Webb to remove the Evergy smart meter after Plaintiff Stewart Webb notified Defendant Evergy Utility by telephone and recorded the call as evidenced herein.
Recorded conversation by Plaintiff Stewart Webb with Defendants Evergy Official December 20, 2021 to pull Plaintiff Stewart Webb Smart Meter trying to charge Plaintiff Stewart Webb $150.00 (One Hundred and Fifty Dollars) as evidence herein in violation of chapter 386, RSMo.
http://www.stewwebb.com/evergy-pull-meter-2021-12-20.mp3
Plaintiff Stewart Webb has symptoms of Radiation Posing and will be tested by Medical Personnel this week.
Plaintiff Stewart Webb has suffered these symptoms for nearly 60 days and has been taking a known Radiation removal call “Spirulina” an over the counter Dietary Supplement which is making improvements in the effects of the Plaintiff Health.
Plaintiff was told by Defendants in the recorded conversation that the Defendants Every installed the smart meters in Plaintiff rental in January 2021 as evidenced in the recorded call.
Plaintiff Stewart Webb reserves the right to amend this Complaint this suit.
WHEREFORE, premises considered and good cause having been shown that these allegations are in the public’s interest, Plaintiff moves the Court to grant that Plaintiff and others may bring forth evidence to demonstrate that violations of the Laws of the united States of America have been violated and that Defendants Evergy are currently Engaged in an Ongoing Continuous Enterprise and the Plaintiff Stewart Webb and others lives are in danger of this filing.
RICO 18 USC § 1962 – Prohibited activities
a)It shall be unlawful for any person who has received any income derived, directly or indirectly, from a pattern of racketeering activity or through collection of an unlawful debt in which such person has participated as a principal within the meaning of section 2, title 18, United States Code, to use or invest, directly or indirectly, any part of such income, or the proceeds of such income, in acquisition of any interest in, or the establishment or operation of, any enterprise which is engaged in, or the activities of which affect, interstate or foreign commerce. A purchase of securities on the open market for purposes of investment, and without the intention of controlling or participating in the control of the issuer, or of assisting another to do so, shall not be unlawful under this subsection if the securities of the issuer held by the purchaser, the members of his immediate family, and his or their accomplices in any pattern or racketeering activity or the collection of an unlawful debt after such purchase do not amount in the aggregate to one percent of the outstanding securities of any one class, and do not confer, either in law or in fact, the power to elect one or more directors of the issuer.
(b)It shall be unlawful for any person through a pattern of racketeering activity or through collection of an unlawful debt to acquire or maintain, directly or indirectly, any interest in or control of any enterprise which is engaged in, or the activities of which affect, interstate or foreign commerce.
(c)It shall be unlawful for any person employed by or associated with any enterprise engaged in, or the activities of which affect, interstate or foreign commerce, to conduct or participate, directly or indirectly, in the conduct of such enterprise’s affairs through a pattern of racketeering activity or collection of unlawful debt.
(d)It shall be unlawful for any person to conspire to violate any of the provisions of subsection (a), (b), or (c) of this section.
CONCLUSION
WHEREFORE, PLAINTIFF prays that this Honorable Court hear and grant this, his COMPLAINT and render all proper and suitable relief in the premises, to include:
- Issuance of a Finding of Facts and Conclusions of Law, that violations of Plaintiff’s civil rights, and freedoms, have been committed by these defendants, all, in a conspiratorial, collusive, collaboration of events that have seriously endangered Plaintiffs life and livelihood from Radiation Posing.
- Issuance of a Protective ORDER, against any further violations or attempts on Plaintiff’s life by the defendants herein set forth,
- Permission for a Jury Trial of these actions to be held.
- All other suitable and equitable relief in the circumstances.
DATED; December 21, 2021
MOST RESPECTFULLY SUBMITTED,
STEWART A. WEBB, PLAINTIFF,
Pro se, and in forma pauperis,
Stewart Anthony Webb
S/
PO Box 472
Oak Grove, Missouri 64075
816-492-9809
CERTIFICATE OF MAILING;
I, STEWART A. WEBB, hereby certify, pursuant to local
Rules of civil procedure that I have placed a true and correct copy of the foregoing COMPLAINT into the U. S. Postal Service, postage prepaid, addressed to the following:
Defendants,
Evergy
Electric Utility Company
P.O. Box 219703
Kansas City, MO. 64121-9703
ebill@billing.evergy.com
816-471-5275
888-471-5275
888-544-4852
To be served by US Marshall upon Defendants:
Defendants,
Evergy
Electric Utility Company
P.O. Box 219703
Kansas City, MO. 64121-9703
ebill@billing.evergy.com
816-471-5275
888-471-5275
888-544-4852
Evergy-order-of-protection-to-pull-smart-meter 2021-12-21
IN THE UNITED STATES DISTRICT COURT
FOR THE WESTERN DISTRICT OF MISSOURI
CIVIL DIVISION CASE Number: _____________________________
Filed Monday December 21, 2021
Stewart A. Webb,
816-492-9809
PO Box 472
Oak Grove, Missouri 64075
federalwhistleblower@gmail.com
Evergy Customer Account Number: 4327169751
1000 S.E. Prairie Lane #19
Oak Grove, MO. 64075
Plaintiff,
VS.
Evergy
Electric Utility Company
P.O. Box 219703
Kansas City, MO. 64121-9703
ebill@billing.evergy.com
816-471-5275
888-471-5275
888-544-4852
Defendants,
Complaint
In Law and Equity
For Immediate Restraining Order
And Order of Protection to Pull Smart Meter
COMPLAINT FOR INJUNCTIVE RELIEF
NOW COMES the Plaintiff, Stewart A. Webb (Stew Webb herein) appearing pro se and in forma pauperis and herein, upon information and belief and established facts, and for his causes of action against all named and unnamed Defendants alleges and states the following:
Therefore, premises considered, this action is properly grounded in both jurisdiction and venue under the Federal Rules of Criminal Procedure (F.R.Cr.P.)
18 USC 4 Federal Reporting Crime Act (whoever having knowledge of the actual commission of a felony cognizable by a court of the united States, conceals and does not, as soon as possible, make known the same to some judge or other person in civil or military authority under the united States shall be fined not more than $500.00 or imprisoned not more than three years or both).
FIRST REGULAR SESSION
HOUSE BILL NO.1175
98TH GENERAL ASSEMBLE
AN ACT
To amend chapter 386, RSMo, by adding thereto one new section relating to the use of smart meters, with a penalty provision.
Be it enacted by the General Assembly of the state of Missouri, as follows:
386.825, to read as follows:
Line 45 (7) A customer may opt out of any electronic monitoring and a smart meter usage on his or her property by providing a written signed declaration to his or her utility which clearly states his or her desire to opt out of electronic monitoring and smart meter usage on his or her property. If a customer opts out of electronic monitoring the utility shall then provide an analog meter for the customer at no additional charge. No utility shall induce or entice any such waiver by the promise of any monetary gain or a reduction in electrical billing charges.
See: Please click on link below
FIRST REGULAR SESSION
HOUSE BILL NO.1175
98TH GENERAL ASSEMBLE
AN ACT
To amend chapter 386, RSMo, by adding thereto one new section relating to the use of smart meters, with a penalty provision.
Be it enacted by the General Assembly of the state of Missouri, as follows:
386.825, to read as follows:
http://www.stewwebb.com/2456H.01I.pdf
https://house.mo.gov/billtracking/bills151/hlrbillspdf/2456H.01I.pdf
AFFIDAVIT IN SUPPORT OF
Plaintiff Stewart Webb COMPAINT
I hereby make this Affidavit to be true to the best of my knowledge and belief this date December 21, 2021.
Plaintiff wishes to bring forth evidence to the Court concerning crimes, which have been committed against the Plaintiff Stewart Webb. Plaintiff will show through (evidence herein incorporated below) and testimony that various felonious acts including Perjury to illegally charge the Plaintiff Stewart Webb to remove the Evergy smart meter after Plaintiff Stewart Webb notified Defendant Evergy Utility by telephone and recorded the call as evidenced herein.
Recorded conversation by Plaintiff Stewart Webb with Defendants Evergy Official December 20, 2021 to pull Plaintiff Stewart Webb Smart Meter trying to charge Plaintiff Stewart Webb $150.00 (One Hundred and Fifty Dollars) as evidence herein in violation of chapter 386, RSMo.
http://www.stewwebb.com/evergy-pull-meter-2021-12-20.mp3
Plaintiff Stewart Webb has symptoms of Radiation Posing and will be tested by Medical Personnel this week.
Plaintiff Stewart Webb has suffered these symptoms for nearly 60 days and has been taking a known Radiation removal call “Spirulina” an over the counter Dietary Supplement which is making improvements in the effects of the Plaintiff Health.
Plaintiff was told by Defendants in the recorded conversation that the Defendants Every installed the smart meters in Plaintiff rental in January 2021 as evidenced in the recorded call.
Plaintiff Stewart Webb reserves the right to amend this Complaint this suit.
CONCLUSION
WHEREFORE, PLAINTIFF prays that this Honorable Court hear and grant this, his COMPLAINT and render all proper and suitable relief in the premises, to include:
- Issuance of a Finding of Facts and Conclusions of Law, that violations of Plaintiff’s civil rights, and freedoms, have been committed by these defendants, all, in a conspiratorial, collusive, collaboration of events that have seriously endangered Plaintiffs life and livelihood from Radiation Posing.
- Issuance of a Protective ORDER, against any further violations or attempts on Plaintiff’s life by the defendants herein set forth,
- Permission for a Jury Trial of these actions to be held.
- All other suitable and equitable relief in the circumstances.
DATED; December 21, 2021
MOST RESPECTFULLY SUBMITTED,
STEWART A. WEBB, PLAINTIFF,
Pro se, and in forma pauperis,
Stewart Anthony Webb
S/
PO Box 472
Oak Grove, Missouri 64075
816-492-9809
IN THE UNITED STATES DISTRICT COURT
FOR THE WESTERN DISTRICT OF MISSOURI
U.S. District Court Judge _________________________
Signature of Order to pull smart meter and replace with analog meter immediately.
CERTIFICATE OF MAILING;
I, STEWART A. WEBB, hereby certify, pursuant to local
Rules of civil procedure that I have placed a true and correct copy of the foregoing COMPLAINT into the U. S. Postal Service, postage prepaid, addressed to the following:
Defendants,
Evergy
Electric Utility Company
P.O. Box 219703
Kansas City, MO. 64121-9703
ebill@billing.evergy.com
816-471-5275
888-471-5275
888-544-4852
To be served by US Marshall upon Defendants:
Defendants,
Evergy
Electric Utility Company
P.O. Box 219703
Kansas City, MO. 64121-9703
ebill@billing.evergy.com
816-471-5275
888-471-5275
888-544-4852