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RAMON VILLA-VELAZQUEZ v CITY OF SCOTTSBULFF Click to find out why . . .



Keywords & Phrases
CaseNo: RVVVCOS230864, CourtCode: DIS, CourtName: IN THE UNITED STATES DISTRICT COURT FOR THE, Plaintiff: RAMON VILLA-VELAZQUEZ, State: NE Nebraska, UniqueCaseRef: LCD>RVVVCOS230864, Ramon, Officer, Ferguson, Nebraska, Constitution, Violation, United States, Arrest, House, Maria Villa, Ramon Villa-velazquez, Unlawful, Bonds, Acts, Unreasonable Force, Scottsbluff, Jurisdiction, Pursuant, Amendment, Unlawful Entry, Detention, Inasmuch, Door, Warrant, Suffer, Paragraphs, Fully Set , ContentID: 120250189

Case Documents
1   COMPLAINT
[ see first page and extracted highlights below  ] ItemID: 124040
8 pages
PDF
Total Documents: 1 document , 8 pages
Price: $ 19.95


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1 . COMPLAINT

EXTRACTED KEY WORDS
RAMON
DEFENDANTS
OFFICER
FERGUSON
NEBRASKA
CONSTITUTION
LAW
VIOLATION
UNITED STATES
ARREST
HOUSE
MARIA VILLA
RAMON VILLA-VELAZQUEZ
UNLAWFUL
BONDS
ACTS
UNREASONABLE FORCE
SCOTTSBLUFF
JURISDICTION
PURSUANT
AMENDMENT
UNLAWFUL ENTRY
DETENTION
INASMUCH
DOOR
WARRANT
SUFFER
PARAGRAPHS
FULLY SET
                IN THE UNITED STATES DISTRICT COURT FOR THE
                               DISTRICT OF NEBRASKA

RAMON VILLA-VELAZQUEZ,                        )         CASE NO.
MARIA VILLA, and CRYSTAL E. LARA   )
and RAMON VILLA, minor children               )
by and through their mother and next best   )
friend, MARIA VILLA,                          ) )
       Plaintiffs,
                          )
                                              )
v.                                            )         COMPLAINT
                                              )
CITY OF SCOTTSBLUFF, BRUCE                    )
FERGUSON, STEVEN BONDS, and                   )
OFFICER LUCKY, in their official and          )
individual
              capacities,
                          )
                                              )
       Defendants.
                          )


                                     I.  JURISDICTION

       1.       Plaintiffs invoke this Court=s jurisdiction under 28 U.S.C. '1343(3) and

(4) and 1331 and the pendent jurisdiction of the Court.  This action, authorized and

instituted pursuant to the Civil Rights Act of 1866 (42 U.S.C. '1981 and 1983), and the

Fourth and Fourteenth Amendment to the United States Constitution, is brought to

remedy the unlawful entry into Plaintiffs= home, detention, arrest, seizure, and use of

unlawful force against Plaintiffs without probable cause and without any articulable facts

and based on racial discrimination.  This action is further brought pursuant to Neb. Rev.

Stat. '20-148 and the laws of the State of Nebraska.


                               1



                                       II.  PARTIES
SNIPPETS:
  • IN THE UNITED STATES DISTRICT COURT FOR THE
  • MARIA VILLA, and CRYSTAL E. LARA)
  • Plaintiffs invoke this Court=s jurisdiction under 28 U.S.C. '1343and
  • and 1331 and the pendent jurisdiction of the Court.
  • Fourth and Fourteenth Amendment to the United States Constitution,
  • unlawful force against Plaintiffs without probable cause and without any articulable facts
  • This action is further brought pursuant to Neb.
  • '20-148 and the laws of the State of Nebraska.
  • Plaintiff Ramon Villa Velasquez, and a resident of Scottsbluff, Nebraska.
  • Defendant Bruce Ferguson, Defendant Steven Bonds, and Defendant Officer
  • Said Defendants were, at all times pertinent hereto, acting under
  • color of state law inasmuch as the acts complained of herein were taken by Defendants
  • bring her father to the door.
  • around the house and looked into the windows and garage of the home before returning to
  • Officer Ferguson then informed Ramon he was under arrest for an
  • immigration violation and ordered Ramon to accompany him to the police station.
  • whether Officer Ferguson was actually with the INS, and asked to see a warrant for his
  • At no time had Plaintiff Ramon Villa-Velazquez struck at or made any
  • had no probable cause for the arrest and detention of Ramon.
  • The Defendants used unreasonable force against Ramon in light of the
  • a reckless disregard of Plaintiffs= right to be free from unlawful entry into their home,
  • losses and will continue to suffer them into the future.
  • Paragraphs 1 through 14 above as though fully set forth herein.
  • The treatment complained of above violates 42 U.S.C. '1983 inasmuch as
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