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Case -0-fra Doc Filed // 0 Michael Fuller, Oregon Bar No. 0 Trial Attorney for Ms. Adams Portland, Oregon Michael@UnderdogLawBlog.com Mobile 0--0 UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF OREGON In re Stacy Lynn Adams-Smith, STACY ADAMS, v. Debtor. Plaintiff, AARON S SALES AND LEASE, MARC SALES & LEASING LLC, NW FREEDOM CORP., AARON S SALES AND LEASE OWNERSHIP, AARON S, INC. and JOHN DOES -0, all dba AARON S, Defendants. Case No. -0-fra Adv. Proc. No. -0-fra STALKING AND VIOLATION OF THE AUTOMATIC STAY AMENDED COMPLAINT USC (k USC 0 USC (a Oregon common law AMENDED COMPLAINT Page Portland, OR Office 0--

Case -0-fra Doc Filed // 0. THE PARTIES This is a civil action brought by Plaintiff Stacy Adams (Ms. Adams against Defendants Aaron s Sales and Leasing, Marc Sales & Leasing LLC, NW Freedom Corp., Aaron s Sales and Lease Ownership, Aaron s Inc., and John Does -0 (collectively referred to as Aaron s or Defendants under USC 0 and (k, USC (a, and Oregon common law.. JURISDICTION The United States District Court for the District of Oregon has jurisdiction of this action pursuant to USC,, and because Ms. Adams automatic stay claim arises under Title and forms part of the same case and controversy as the Oregon common law claim.. The United States Bankruptcy Court for the District of Oregon has jurisdiction of this action pursuant to USC and LR 00- because Ms. Adams claims arise in her bankruptcy case, number -0-fra, filed under Chapter of Title in this Honorable United States Bankruptcy Court for the District of Oregon in Eugene before the Honorable Chief Judge Frank R. Alley.. The automatic stay and Oregon common law claims are core proceedings under USC (b( because they concern the administration of the estate. AMENDED COMPLAINT Page Portland, OR Office 0--

Case -0-fra Doc Filed // 0. FACTUAL ALLEGATIONS Ms. Adams is a professional certified debt collector.. Ms. Adams knows the importance of the automatic stay and never calls consumers during a bankruptcy case.. Companies that choose to break the bankruptcy rules put law-abiding debt collectors like Ms. Adams at an economic disadvantage.. In, Ms. Adams was diagnosed with cancer.. As a result of medical bills, Ms. Adams filed for Chapter bankruptcy protection in the United States Bankruptcy Court for the District of Oregon in Eugene on October,. 0. Prior to seeking bankruptcy protection, Ms. Adams leased personal property from Aaron s, including furniture and a rug.. Ms. Adams listed Aaron s in her bankruptcy paperwork, and upon information and belief, Aaron s received Court-generated written notices of the automatic stay in her case. AMENDED COMPLAINT Page Portland, OR Office 0--

Case -0-fra Doc Filed // 0. Ms. Adams has not missed a payment to Aaron s after filing her bankruptcy case.. Within a few days of filing, Ms. Adams daughter provided Aaron s with verbal notice of the bankruptcy case.. Ms. Adams daughter again provided Aaron s with verbal notice of the bankruptcy case in November in its store location.. As of the date of this Amended Complaint, the Bankruptcy Court has never granted Aaron s relief from the automatic stay in Ms. Adams bankruptcy case.. Ms. Adams does not yet know the true names and capacities of all the Defendants or their agents. Ms. Adams intends to amend this Complaint to allege such names and capacities when known. Upon information and belief, each unknown or fictitiously named defendant or agent worked in concert with one another with knowledge of one another.. For the purposes of the allegations in this Complaint, Defendants and their agents worked in partnership in an ongoing venture with a share economic interest in collecting from Ms. Adams. AMENDED COMPLAINT Page Portland, OR Office 0--

Case -0-fra Doc Filed // 0. Any wrongdoing committed by Defendants agents against Ms. Adams was in furtherance of their principal-agent relationship with Defendants and in furtherance of Defendants economic interests.. Despite actual knowledge of the automatic stay in this bankruptcy case, Aaron s continues to stalk and harass Ms. Adams and her family with collection attempts.. Ms. Adams, through her daughter, has asked Aaron s to stop and tried to resolve this matter without filing a complaint.. From approximately October to November,, Aaron s harassed Ms. Adams by post card, certified mail, on her cell phone, on her work phone, at her home, and at her work, in attempts to collect from her.. From approximately October to November,, Aaron s has stalked Ms. Adams at her home on at least three separate occasions.. Aaron s also harasses Ms. Adams daughter, sister, mother, and co-workers in attempts to collect. AMENDED COMPLAINT Page Portland, OR Office 0--

Case -0-fra Doc Filed // 0. After the filing of the original Complaint on November,, Aaron s continued to harass Ms. Adams at her residence and at her work. Aaron s was disruptive in her office.. Ms. Adams filed police report number -0 and was advised to file a civil complaint against Aaron s to stop the harassment.. Aaron s collection attempts were intentional and occurred after it had actual knowledge of the automatic stay in Ms. Adams bankruptcy case.. Aaron s verbally acknowledged that it knew of Ms. Adams bankruptcy case, then proceeded to continue harassing her.. Aaron s is familiar with the automatic stay.. Aaron s violated the automatic stay in the District of Oregon on prior occasions. 0. The Court-generated notice Aaron s received warned it that attempting to collect from Ms. Adams in violation of the automatic stay may result in penalties. AMENDED COMPLAINT Page Portland, OR Office 0--

Case -0-fra Doc Filed // 0. As a direct result of Aaron s conduct, Ms. Adams suffers actual damages, including severe and ongoing stress, frustration and anxiety, and expenses, including attorney fees and costs.. CAUSES OF ACTION FIRST CLAIM FOR RELIEF (VIOLATION OF THE AUTOMATIC STAY ( USC (k Ms. Adams incorporates the above by reference.. Aaron s malicious harassment is unacceptable and constitutes an extraordinary transgression of socially tolerable behavior based on the standards of Oregon consumers.. Aaron s conduct as alleged above willfully violates the automatic stay provisions of USC (a( and (. Ms. Adams is injured as a result of the willful violation, and so is entitled to declaratory relief, an award of the expenses, including attorney fees and costs, incurred by Ms. Adams to obtain the declaratory relief sought, an award of actual damages, and an award of punitive damages. AMENDED COMPLAINT Page Portland, OR Office 0--

Case -0-fra Doc Filed // 0. SECOND CLAIM FOR RELIEF (STALKING (Intrusion upon Seclusion Ms. Adams incorporates the above by reference.. Aaron s intentionally intruded upon the solitude and seclusion of Ms. Adams by choosing to illegally stalk her at her home and work, and harass her in writing and over the phone.. Aaron s malicious stalking is highly offensive and directly caused Ms. Adams emotional harm as alleged above.. As a result of Aaron s malicious stalking, Ms. Adams is entitled to an award of actual and punitive damages. AMENDED COMPLAINT Page Portland, OR Office 0--

Case -0-fra Doc Filed // 0. FOURTH CLAIM FOR RELIEF (DECLARATORY RELIEF ( USC 0 and USC (a Ms. Adams incorporates the above by reference. 0. Ms. Adams respectfully requests this Honorable Court issue an order declaring the following: (a Aaron s conduct as alleged above willfully violated the automatic stay. AMENDED COMPLAINT Page Portland, OR Office 0--

Case -0-fra Doc Filed // 0 WHEREFORE, Ms. Adams requests order and judgment against Aaron s as follows: A. Declaratory relief as requested in 0 above; B. An award of the expenses, including attorney fees and costs, incurred by Ms. Adams to obtain the declaratory relief sought above and to remedy Aaron s violation; C. An award of actual damages; D. An award of punitive damages; and E. For other equitable relief this Honorable Court may determine is fair and just. Dated: November, /s/ Michael Fuller Michael Fuller, Oregon Bar No. 0 Trial Attorney for Ms. Adams Portland, Oregon Michael@UnderdogLawBlog.com Mobile 0--0 AMENDED COMPLAINT Page 0 Portland, OR Office 0--

Case -0-fra Doc Filed // 0 AMENDED COMPLAINT Page CERTIFICATE OF SERVICE I certify that on the date stamped above, I served this document on the following parties by first class mail: AARON S C/O CEO RON ALLEN 0 EAST PACES FERRY ROAD NE ATLANTA, GA 00- AARON S C/O CEO RON ALLEN 00 EAST PACES FERRY ROAD NE ATLANTA, GA 00- AARON'S C/O AUTHORIZED REPRESENTATIVE JOHN CHILDS AND/OR CEO RON ALLEN E FOURTH PLAIN BLVD VANCOUVER, WA AARON S C/O AUTHORIZED REPRESENTATIVE GREG VAUTERS AND/OR CEO RON ALLEN C/O REGISTERED AGENT JEREMY KUDLO AND/OR CEO RON ALLEN WAVERLY DRIVE SE STE B ALBANY, OR AARON S C/O LEGAL AGENT AND/OR CEO RON ALLEN LANCASTER DR. NE SALEM, OR 0 AARON S C/O REGISTERED AGENT JOHN CHILDS AND/OR CEO RON ALLEN SE LUSTED RD. GRESHAM, OR 00 Portland, OR Office 0--

Case -0-fra Doc Filed // 0 AARON S C/O LEGAL AGENT AND/OR CEO RON ALLEN 00 NE SANDY BLVD. PORTLAND, OR Dated: November, /s/ Michael Fuller Michael Fuller, Oregon Bar No. 0 Trial Attorney for Ms. Adams Portland, Oregon Michael@UnderdogLawBlog.com Mobile 0--0 AMENDED COMPLAINT Page Portland, OR Office 0--