OFFICIAL WEBSITE BOSS FOR CONGRESS 2010 DEMOCRATIC PRIMARY I WITNESSED THE NSA ARRANGE THE 911 ATTACK. I HAVE THE PROOF!

I HAVE MORE THAN 50 NSA AGENTS ON DVD ADMITTING WHAT I AM SAYING IS TRUE

THANK YOU FOR THE 15% OF THE VOTE ON JUNE  8, 2010 DEMOCRATIC PRIMARY. I WILL BE RUNNING FOR N.J SENATE 2011 & U.S. SENATE 2012~ SEE BELOW

BOSS FOR CONGRESS OFFICIAL WEBSITE
7002 BLVD EAST APT 26G
GUTTENBERG, NJ 07093

ph: 201-662-1303

COMPLAINT BEING HEARD IN FEDEARL COURT

COMPLAINT (FEDERAL COURT)
United States District Court of New Jersey (Newark)

Civil Number 09-1162(PGS)

Complaint And Jury Demand For
EMERGENT MATTER EQUITABLE RELIEF
and damages.

JEFF BOSS,

Plaintiff,

V.                                                 civil action#     09-1162(pgs)

 

NATIONAL SECURITY AGENCY
Attention: Legal Department
9800 Savage Road
Fort George, Maryland 20755
(301) 688-6524

 

Defendant,

And

GALAXY APARTMENTS
c/o Cooper Square Management
7000 Boulevard East 16th Floor
Guttenberg, NJ 07093
(201) 453-2424

 

Defendants.

            Complaint for F.R. Civ. P. 65 Relief and damages Plaintiff Jeff Boss,
appearing in pro se, inops consilii, respectfully says the following in support of his complaint against these defendants:

               1. Plaintiff, Jeff Boss, is presently on the ballot for Governor of New Jersey
on the Democratic ticket.  www.jeffbossforgovernor.com .
This web page has plaintiff's statement showing one of plaintiff's close relatives with top National Security clearance helped arrange the September 11, 2001, World Trade Center attack. These defendants have conspired to retaliate against plaintiff for same whistleblowing and to interfere with plaintiff's Election Campaigns. Plaintiff resides in the apartment complex of named defendant Galaxy Apartments, which is managed by named defendent Cooper Square Management.

 

Jurisdiction.

              2. This court has jurisdiction pursuant to Bivens v. Six Unknown Federal Narcotics Agents, 403 U.S. 388 (1971); F.R.Civ.P  65.

Statement Of Facts.

              3. Plaintiff's car and home have been electronically bugged by defendants. In support of this contention, plaintiff has a letter from a security company acknowledging plaintiff's car was electronically bugged. Plaintiff has a DVD if his auto mechanic from R & J Auto Body, in Guttenberg, NJ, from September 2008 stating the NSA broke into plaintiff's car and put in an electronic bug and possibly electronics to kill plaintiff. Sams DVD also has the auto mechanic at Sears auto department in Jersey City from January 2009  stating my fuse box had been rewired in a way he has never seen before.

              4. Plaintiff has five employees of Galaxy Apartments saying they have been recruited by defendant NSA to mess up plaintiff's Election campaign and to kill plaintiff and that NSA threatened their lives and families if they speak out about it. These five employees state on same DVD that all the employees, including the Front Door man, Security Guards, and Management team have all been recruited and employed by defendant NSA.

              5. Defendants are jamming up my telephone and emails such that often plaintiff cannot reach people and they cannot reach plaintiff. For example, one of my present Election Campaign workers said he has not received plaintiff's voicemail messages. Campaign workers and prospective supporters claim they never received plaintiff's e-mails, even though the e-mails have never been returned to my inbox as having failed. This has been going on for over a year, during my prior Election campaigns.

              6. Thirty people of whom plaintiff had informed of plaintiff's witnessing plaintiff's close relative planning the September 11, 2001, attack have died or had massive heart attack requiring hospitalization, including family, friends, and Campain workers. As a few examples: Plantiff's U.S. Senate Manager, Sylvester Williams, from Irvington, New Jersey, had a heart attack on the first day wrote a letter to plaintiff stating NSA poisoned his food. Teddy Smith, employed with plaintiff's Campaign for Governer, as a media publicist, was threatened by the NSA to mess up plaintiff's Election campaign or they would kill him. The list is readily available upon request. 

             7. Between June 2008 and February 25, 2009, plaintiff hand-delivered eight different complaints to the US Attorney's Office, 970 Broad Street, 7th Floor Receptionist, Newark, NJ, 07102, including receptionist names "Mary", another receptionist named "Crystal." Plaintiff only received one responce dated February 8th, 2009, with a forged signature of Acting U.S. Attorny for New Jersey, Ralph Marra. "Tom Malony", of U.S. Attorney's office for New Jersey, admitted to plaintiff to having signed Mr. Marra's signature.

             8. On November 4, 2008, plaintiff was on the Election Day ballot in New Jersey for U.S. Senate and U.S. President. On same Election Day, I received telephone calls from 10 people who claim the electronic voting machine would not register a vote when they tried to vote for plaintiff for either U.S Senate or U.S. President. At the same time of this juncture, plaintiff only has two of these people willing to testify to this frustrating experience.  

             9. Eight people have stated on DVD that defendant NSA has recruited them to put special GPS tracking devices on plaintiff's Election campaign literature, including Ritch Santos, Minuteman Press, 55 Commerce Street, Newark, NJ, two other people whom work at Staples in North Bergen, NJ, and Edgewater, NJ, and two in Mr. S.M. Islam, at Copy Center, 11 Waverly Place, NYC.

            10. In September 2008, Plaintiff's maid, Fina Azdajic, 7603 Park Ave, North Bergen, NJ, told plaintiff she was recruited by the defendant NSA to break plaintiff's cameras and mess up plaintiff's home and let the NSA into plaintiff's apartment while plaintiff was absent. Plaintiff personally witnessed her knock over two of plaintiff's cameras.

            11. But for plaintiff's whistleblowing of having witnessed the planning of the September 11, 2001, attack, by a close family member with top security clearance, these defendants would not have engaged in this series of aggravated harassment against the plaintiff.

             12. As a direct result of the constitutional torts committed by these defendants, plaintiff has suffered emotional distress damages, including plaintiff living in fear of his life, damages to plaintiff's Election campaign, including dead friends, six dead family members, numerous dead campaign workers, a violation of plaintiff's right to a fair Election under State law and Federal law. Plaintiff will need security for the rest of his life. 13. Plaintiff demands a temporary order restraining defendants from interfering with plaintiff's Election Campaign and personal life and damages in the amount $110 million of compensatory and punitive damages.

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 


 

 

 

 

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ph: 201-662-1303