UNITED STATES DISTRICT COURT WESTERN DISTRICT OF LOUISIANA SHREVEPORT DIVISION JUDGE:

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Case 3:09-cv-01264-RGJ-KLH Document 1 Filed 07/29/09 Page 1 of 8 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF LOUISIANA SHREVEPORT DIVISION RENEE STRINGER Plaintiff, V. CIVIL ACTION NO: JUDGE: WESLEY HORTON, RICK TUCKER, KRIS WALKER, AND THE TOWN OF MAGISTRATE JUDGE: JONESBORO, LOUISIANA Defendants COMPLAINT 1. This is a civil action seeking damages against defendants for committing acts under color of law, and depriving plaintiff of rights secured by the Constitution and laws of the United States and the State of Louisiana. This action is brought pursuant to 42 U.S.C. 1983, 1988, and the Fourth, and Fourteenth Amendments to the United States Constitution, together with Article 1, 2 and 5 of the Louisiana Constitution, and La. Civil Code Art. 2315, seeking redress for plaintiff for the actions and resultant damages done and caused them by the conduct of the defendants. 2. Jurisdiction is based on 28 U.S.C. 1331, 1343(a), 2201 and the statutory and constitutional provisions referenced in the above paragraph. Plaintiff further invokes the supplemental jurisdiction of this court under 28 U.S.C. 1367 to hear and decide claims under state law.

Case 3:09-cv-01264-RGJ-KLH Document 1 Filed 07/29/09 Page 2 of 8 3. Plaintiff is Renee Stringer, a citizen of the United States and resident of Jackson Parish, Louisiana. 4. Defendants are a) Wesley Horton ( Horton ), elected chief of police of the Town of Jonesboro, Louisiana, and an adult citizen of the United States and State of Louisiana who is sued in his individual capacity; b) Rick Tucker ( Tucker ), assistant chief of police of the Town of Jonesboro, Louisiana and an adult citizen of the United States and State of Louisiana who is sued in his individual capacity; c) Kris Walker ( Walker ), chief criminal investigator for the Jonesboro Police Department, and an adult citizen of the United States and State of Louisiana who is sued in his individual; and d) Town of Jonesboro, Louisiana ( Jonesboro ), a body politic and political subdivision of the State of Louisiana. 5. Defendants Horton, Tucker, and Walker, while acting in their capacities as police officers in the City of Jonesboro, Jackson Parish, State of Louisiana, deprived plaintiff of her liberty without due process of law, made an unreasonable seizure of the person of plaintiff, and thereby depriving plaintiff of her rights, privileges and immunities as

Case 3:09-cv-01264-RGJ-KLH Document 1 Filed 07/29/09 Page 3 of 8 guaranteed by the Fourth and Fourteenth Amendments to the Constitution of the United States. 6. At all times material to this Complaint, these defendants acted toward plaintiff under color of the statutes, ordinances, customs, and usage of the State of Louisiana, Town of Jonesboro, and the Town of Jonesboro Police Department. 7. Prior to the fall of 2006, plaintiff questioned the propriety of actions of the then Mayor of the Town of Jonesboro, and Wesley Horton, Chief of Police of the Town of Jonesboro. Some of plaintiff s criticisms were about the lack of law enforcement in her neighborhood and the deplorable conditions in her neighborhood. Plaintiff chose to run for the Town Council as a way of pushing for a better and healthier community. She was elected to the Town Council for the Town of Jonesboro in the fall of 2006. 8. Following her election, plaintiff frequently clashed with the new Mayor, Leslie Thompson, and Horton as Chief of Police on numerous occasions. As a result of her questioning of the actions of the Mayor and Chief of Police, the Mayor, Horton, Tucker, and Walker participated in, instigated, or encouraged personal attacks on plaintiff. Additionally, though plaintiff was a duly elected member of the Town Council, she was routinely denied access to Town records. She resorted to filing public records requests with the Town to obtain records, many of which were routinely provided to other members of the Town Council.

Case 3:09-cv-01264-RGJ-KLH Document 1 Filed 07/29/09 Page 4 of 8 9. Plaintiff published an ad in the newspaper in Jonesboro Jackson Independent, that listed the expenditures of the Town of Jonesboro for September 2008. On October 30, 2008, plaintiff wrote a guest column that was critical of the administration of the Town of Jonesboro. The column was published in the Jackson Independent, the local newspaper. 10. On the evening of October 31, 2008, a fight started on the premises of a rental dwelling across the street from plaintiff s residence. Plaintiff called law enforcement to respond. Because of the continued problems with the tenants and condition of the rental property, plaintiff also called the owner of the property and left a message for him with a quote of the language used in public by his tenant. The quoted language included a profanity. 11. Subsequently on November 3, 2008, plaintiff was contacted by Tucker, as Assistant Chief of Police, who instructed her to come to the Police Department as he needed to talk to her. On her arrival, she was arrested by Walker. Walker refused to provide her a copy of the warrant for her arrest, arrest report, or her bond. Further, Walker did not inform her of the charges on which she was being arrested. Later investigation uncovered that she was arrested for Improper Telephone Communication under La.R.S. 14:285.

Case 3:09-cv-01264-RGJ-KLH Document 1 Filed 07/29/09 Page 5 of 8 12. The arrest of plaintiff was without probable cause or any justification whatever. The instigation of the criminal matter by Horton and arrest of plaintiff by Walker was solely motivated by personal enmity on the part of Horton. 13. The fact of plaintiff s arrest was published in the newspaper and was widely disseminated through actions of Horton, Tucker, and Walker. 14. The charge of Improper Telephone Communication under La.R.S. 14:285 was dismissed by the District Attorney on January 12, 2009. 15. Plaintiff has sustained financial damages as a result of defendants actions. She lost her job as a result of defendants actions. The actions of defendants also disrupted plaintiff s pursuit of a college degree. Additionally, plaintiff sustained emotional distress and anguish as a result of defendants actions. 16. All actions of defendants Horton, Tucker, and Walker were done under color of state law, thus depriving plaintiff of her rights, privileges, and immunities secured to her by the Fourth and Fourteenth Amendments to the United States Constitution as well as relevant portions of the Louisiana Constitution.

Case 3:09-cv-01264-RGJ-KLH Document 1 Filed 07/29/09 Page 6 of 8 17. By means of their unlawful arrest of plaintiff and the malicious charges placed against her, defendants Horton, Tucker, and Walker intentionally, or with deliberate indifference and callous disregard of Plaintiff s rights, deprived plaintiff of her right to be free of unreasonable searches and seizures, in violation of the Fourth and Fourteenth Amendments to the Constitution of the United States and 42 U.S.C. 1983. 18. The individual defendants conduct violated clearly established law. Further, such conduct is shown to have been objectively unreasonable. These defendants deliberately abused the power of their office by the false accusations, arrest, and malicious prosecution of plaintiff as a means of retaliating against plaintiff for her exercise of her freedom of speech. 19. The actions of the individual defendants is wholly unrelated to any legitimate state objective, were done in bad faith, were done maliciously, with deliberate indifference to plaintiff s constitutional rights, and with a callous and reckless disregard for the same. An award of punitive damages against the individual defendants is warranted and sought. 20. The conduct shown violates Article 1, 2 and 5 of the Louisiana Constitution. 21. The conduct of the individual defendants was extreme and outrageous, and the emotional distress suffered by plaintiff was significant. Defendants should have known

Case 3:09-cv-01264-RGJ-KLH Document 1 Filed 07/29/09 Page 7 of 8 that their actions would cause plaintiff emotional distress and thus their actions constitute intentional or negligent infliction of emotional distress on plaintiff. 22. The Town of Jonesboro, as the employer of the individual defendants, is vicariously liable under state law for these acts of the individual defendants. 23. Because the injuries to plaintiff result from the actions that are the basis of plaintiff s complaint and stem from a common nucleus of fact, the Court is asked to exercise its supplemental jurisdiction so that these state law claims may be heard and adjudicated. 24. Plaintiff requests and is entitled to a trial by jury on all issues so triable. WHEREFORE, plaintiff Renee Stringer demands judgment against all defendants jointly and severally, for compensatory damages and further demands judgment against each of the individual defendants Horton, Tucker, and Walker jointly and severally, for punitive damages. FURTHER, plaintiff prays for such other relief as she may be entitled, including reasonable attorney fees, interest, costs of this action and such other relief as to this Court seems just, proper, and equitable.

Case 3:09-cv-01264-RGJ-KLH Document 1 Filed 07/29/09 Page 8 of 8 Respectfully submitted, Law Offices of Elton B. Richey, Jr. /s/ Elton B. Richey, Jr. Elton B. Richey, Jr. Louisiana Bar Number 21836 Suite 1805, 400 Travis Street Shreveport, Louisiana 71101 318-227-1460 /s/ Henry M. Bernstein Henry M. Bernstein, Attorney at Law Louisiana Bar Number 03011 4442 Viking Loop, Suite 100 Bossier City, Louisiana 71111 Tel. No. (318) 752-3335 Fax No. (318) 752-3315

Case 3:09-cv-01264-RGJ-KLH Document 1-1 Filed 07/29/09 Page 1 of 1 STATE OF LOUISIANA PARISH OF CADDO VERIFICATION Before me, the undersigned notary, on this day personally appeared Renee Stringer, who being duly sworn did testify that the facts stated in the above complaint are true and correct to the best of her knowledge. /s/ Renee Stringer Renee Stringer SWORN TO AND SUBSCRIBED before me, the undersigned Notary, on the 21 st day of July 2009 in Shreveport, Louisiana. /s/ Henry M. Bernstein Notary