Below is the first page of the fourteen page Federal lawsuit that was filed December 17th 2018. The identity of this family and their children is not revealed on this web site. Federal lawsuits are public information and copies can be easily obtained by opening a PACER "Public Access to Court Electronic Records" account. This is simple to do. We are doing this not to hide anything, but so that the children involved are not identified. The government operates in secret in the Juvenile court system (much like the SS and KGB) so that no one knows the suffering and carnage that they inflict on families accross the nation daily. 

The following is a sumary of the charges filed in Federal court in Case NO 3:18-cv-530
    FIRST CAUSE OF ACTION   Depravation of Life, Liberty, and Property without Due Process
    SECOND CAUSE OF ACTION   Violation of the First Amendment, Petition Clause
    THIRD CAUSE OF ACTION   Violation of the First Amendment, Establishment Clause
    FOURTH CAUSE OF ACTION   Violation of the First Amendment, Free Speech Clause
    FIFTH CAUSE OF ACTION      Fraud
    SIXTH CAUSE OF ACTION   Kidnapping
    SEVENTH CAUSE OF ACTION   Battery
    EIGHTH CAUSE OF ACTION   Wrongful Death


UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF TENNESSEE
**** *****,
*.*. and *.*., both minors and siblings,
by and through their father **** *****
******* *****,
*.*. a minor, by and through her
mother ******* *****, and
MARK CARR
Plaintiffs,
CIVIL CASE NO: 3:18-cv-530
v.

******* *******,
******* *******,
****** ******,
****** *****,
***** *****,
DIANNA RUSSELL,
WENDY PATRICK, and
BONNIE HOMMRICH in her official
Capacity as Commissioner of the
Tennessee Department of Children’s Services
Defendants.

COMPLAINT

    COMES NOW the Plaintiffs ******* *****, **** *****, and Mark Carr by and through undersigned counsel, and bring this Complaint against Defendants ******* *******, ********* *******, ****** *****, ******* *****, ***** *****, DIANNA RUSSELL, WENDY PATRICK, and the Tennessee Department of Children’s Services for violations of the 1st Amendment’s petition clause, freedom of religion clause, establishment clause, and free speech clause; depravation of liberty without due process, depravation of life without due process, depravation of property without due process, assault, wrongful death, and violations of other State and Federal laws.

In support of this Complaint the Plaintiff alleges as follows:


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Case 3:18-cv-00530 Document 1 Filed 12/17/18 Page 1 of 14 PageID #: 1