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Case 315-cv-01552-JJH Doc # 1 Filed 08/07/15 1 of 20. PageID # 1 UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF OHIO WESTERN DIVISION STEVEN G. NOFFSINGER CASE NO. Plaintiff, vs. JASON K. LANDERS, INDIVIDUALLY AND AS SHERIFF OF PAULDING COUNTY, OHIO c/o PAULDING COUNTY SHERIFF S OFFICE ROBERT GARCIA, INDIVIDUALLY AND AS DEPUTY SHERIFF OF PAULDING COUNTY, OHIO c/o PAULDING COUNTY SHERIFF S OFFICE JUDGE COMPLAINT WITH JURY DEMAND ENDORSED BRION HANENKRATT, INDIVIDUALLY AND HEREON AS DEPUTY SHERIFF OF PAULDING COUNTY, OHIO c/o PAULDING COUNTY SHERIFF S OFFICE 1

Case 315-cv-01552-JJH Doc # 1 Filed 08/07/15 2 of 20. PageID # 2 TURNER NETWORK TELEVISION, INC. c/o CT Corporation System, Registered Agent WOLF FILMS, INC. c/o Corporation Service Company dba CSC, Registered Agent MAGICAL ELVES, INC. nka GEMINI MAGICAL ELVES, INC. c/o Jeanne Newman, Registered Agent KELLY SIEGLER YOLANDA MCCLARY ALAN BROWN address unknown JOHN DOE 1 address unknown 2

Case 315-cv-01552-JJH Doc # 1 Filed 08/07/15 3 of 20. PageID # 3 JOHN DOE 2 address unknown JOHN DOE 3 address unknown JOHN DOE 4 address unknown JOHN DOE 5 address unknown DOE CORPORATION 1 address unknown DOE CORPORATION 2 address unknown DOE CORPORATION 3 address unknown Defendants. I. INTRODUCTION 1. This action includes claims for civil rights violations under 42 U.S.C. 1983 claims for negligent intentional torts under state law. These claims are based upon the 3

Case 315-cv-01552-JJH Doc # 1 Filed 08/07/15 4 of 20. PageID # 4 conduct of certain law enforcement officers employed with the Paulding County Sheriff s Office, Paulding County, Ohio, the actions of the employees of Turner Network Television, Inc. ( TNT ), Wolf Films, Inc. (hereinafter Wolf ), Magical Elves, Inc. nka Gemini Magical Elves, Inc. (hereinafter Magical Elves ), Kelly Siegler (hereinafter Siegler ), Yola McClary (hereinafter McClary ) Alan Brown (hereinafter Brown ), all of whom investigated plaintiff s alleged involvement in the homicide of Alma Noffsinger which occurred on or about December 16, 1981 in the Village of Oakwood, Paulding County, Ohio. The defendants collective investigations, which occurred in 2014, were an attempt to resurrect a cold case, resulted in an unreasonably reckless disregard for malicious prosecution of plaintiff in violation of the United States Ohio Constitutions state law. II. JURISDICTION 2. Pursuant to 28 U.S.C. 1331 1343, the United States District Court has jurisdiction over the claims arising under 42 U.S. C. 1983 the United States Constitution. Pursuant to 28 U.S.C. 1367, the United States District Court has jurisdiction over the claims arising under state law. The plaintiff is a resident of Defiance County, Ohio. Some defendants are residents or government entities of Ohio the remaining defendants have their principal places of business in the states of Georgia, California Texas. The amount in controversy exceeds $75,000.00. Proper venue lies in the Northern District of Ohio pursuant to 28 U.S.C. 1391. III. PARTIES 3. Plaintiff, Steven G. Noffsinger, (hereafter Noffsinger ) is a United States citizen a resident of Defiance County, Ohio. 4

Case 315-cv-01552-JJH Doc # 1 Filed 08/07/15 5 of 20. PageID # 5 4. Defendant Jason K. Lers (hereafter Lers ) was is the Sheriff of Paulding County, Ohio at all times relevant to this action by statute is charged with the responsibility of operating the Paulding County Sheriff s Office. 5. Defendant Robert Garcia (hereafter Garcia ) was is a Deputy Sheriff for the Paulding County Sheriff s Office at all times relevant to this action. 6. Defendant Brion Hanenkratt (hereafter Hanenkratt ) was is a Deputy Sheriff for the Paulding County Sheriff s Office at all times relevant to this action. 7. Defendant TNT is a business entity which developed a television series known as Cold Justice culminating as relevant herein with the publication on its network on or about August 8, 2014 with a program regarding the death of Alma Noffsinger identified as Cold Justice, Season 2, Episode 17. 8. Defendant Siegler purports to be a former prosecutor was the host of the Cold Justice television production which was published on or about August 8, 2014 regarding the homicide of Alma Noffsinger, was a primary participant in the investigation of plaintiff as a suspect of that homicide on behalf of the Paulding County Sheriff s Office, TNT, Magical Elves, Wolf. 9. Defendant McClary, purports to be a crime scene investigator on behalf of TNT, Wolf, Magical Elves the television production Cold Justice which was published on or about August 8, 2014 regarding the homicide of Alma Noffsinger, was a primary participant in the investigation of plaintiff as a suspect of that homicide on behalf of the Paulding County Sheriff s Office, TNT, Magical Elves Wolf. 10. Defendant Brown purports to be a homicide investigator, on behalf of TNT, Magical 5

Case 315-cv-01552-JJH Doc # 1 Filed 08/07/15 6 of 20. PageID # 6 Elves Wolf the television production Cold Justice which was published on or about August 8, 2014 regarding the homicide of Alma Noffsinger, was a primary participant in the investigation of plaintiff as a suspect of that homicide on behalf of the Paulding County Sheriff s Office, TNT, Wolf Magical Elves. 11. Defendant Wolf is a television film production company which produced a television show known as Cold Justice, Season 2, Episode 17 which aired on or about August 8, 2014 regarding the homicide of Alma Noffsinger on defendant TNT s national television network. 12. Defendant Magical Elves is a duly registered California corporation with an address principal place of business in California. 13. Defendant Magical Elves is a film production company which employed the television production crew, including the on-air talent identified in paragraphs 8, 9 10 above. 14. Defendants John Does No. 1-5 were or are law enforcement officers, employees or agents of TNT, Magical Elves /or Wolf, or staff members of the television production Cold Justice at all times relevant to this action which participated in the production /or publication of Cold Justice, Season 2, Episode 17. At present, their names identities are unknown, but once discovered, may be substituted as party-defendants. 15. Defendants Doe Corporations No. 1-3 were or are business or government entities at all times pertinent to this action which participated in the production /or publication of Cold Justice, Season 2, Episode 17. At present their names identities are unknown, but once discovered, may be substituted as party-defendants. 16. All acts complained of herein occurred in Paulding County or Defiance County, Ohio 6

Case 315-cv-01552-JJH Doc # 1 Filed 08/07/15 7 of 20. PageID # 7 the statements published to the general public on a television program called Cold Justice, were published throughout the nation through the cable television network, TNT, on which the production aired; continues to be aired at the website of defendant TNT where the production may be viewed; via the Internet through a website video-on-dem service called YouTube, on which the production may be viewed; is available on video-on-dem services of local cable satellite providers operating in Paulding County Defiance County, Ohio. The first publication occurred within one year of the filing of this case is ongoing to the present. 17. Defendants Lers, Garcia, Hanenkratt are being sued in both their official capacity their individual capacities. IV. FACTS 18. Upon information belief, at approximately 845 a.m. on December 17, 1981, Alma Noffsinger was found dead in her residence located at 108 Fifth St., Oakwood, Paulding County, Ohio. The Lucas County, Ohio Coroner in association with the Paulding County, Ohio Coroner performed an autopsy ruled the death a homicide, the time of death at least 24 hours prior to the discovery of the body. 19. At the time of the homicide, the Paulding County Sheriff s Office, through the then Sheriff, Deputies Prosecuting Attorney conducted an investigation into the homicide of Alma Noffsinger which involved contacting various persons of interest, including plaintiff, but no suspect was charged or arrested for the homicide. 20. From December 17, 1981 until on or about July 31, 2014, no person was identified, charged or arrested for the murder of Alma Noffsinger the case remained unresolved. 7

Case 315-cv-01552-JJH Doc # 1 Filed 08/07/15 8 of 20. PageID # 8 21. In June, 2014, defendants Siegler, McClary Brown arrived in Paulding County, Ohio met with defendants Lers, Garcia, Hanenkratt, John Does No. 1-5, for the specific purpose of resurrecting the investigation into the death of Alma Noffsinger. 22. Thereafter, an investigation was undertaken by defendants Lers, Garcia, Hanenkratt, John Does No. 1-5, under color of state law, at the direction control of defendants Siegler, McClary Brown wherein several individuals were interviewed. 23. Defendants Lers, Garcia, Hanenkratt provided defendants Siegler, McClary Brown unbridled access to the Sheriff s files, records, building assistance. 24. During the 1981 investigation, plaintiff voluntarily signed a Consent to Search, allowing the Paulding County Sheriff s Office to search his vehicle home. Two pieces of physical evidence were confiscated from plaintiff s home, a pair of jeans a zippered red sweatshirt. 25. The physical evidence collected at the time of Alma Noffsinger s death sometime between December 15, 1981 December 17, 1981, which consisted of approximately 26 different pieces of evidence, was not available to the investigators in June, 2014, as said physical evidence was either destroyed or lost. 26. The approximately 26 different pieces of evidence, including plaintiff s jeans red zippered sweatshirt, were forensically examined on behalf of the Paulding County Sheriff s Office by a chemist from Barker Analytical Laboratories, Inc. who generated a written report dated February 22, 1982. 27. The chemist s report, in essence, exonerated the evidence confiscated from plaintiff in 1981 as Nothing was found on the samples [of evidence] which were associated with foreign 8

Case 315-cv-01552-JJH Doc # 1 Filed 08/07/15 9 of 20. PageID # 9 materials from a possible assailant. 28. Defendants Siegler, McClary, Brown, Lers, Garcia Hanenkratt were aware of the destroyed or lost evidence, of plaintiff s voluntary Consent to Search; the written chemist s findings from Barker Analytical Laboratories, Inc., yet these defendants maliciously defamed plaintiff in reckless disregard of plaintiff s civil rights, presented plaintiff in a false light as the murderer of Alma Noffsinger, never presented any of the exculpatory evidence during the Cold Justice television production. 29. The body of Alma Noffsinger was not exhumed for re-examination in 2014, or at any time after her burial in January, 1982. 30. The initial law enforcement reports dated December 17, 1981 indicated the decedent s residence was undisturbed, other than the bedroom where the homicide occurred, there was no evidence of forced entry, burglary or sexual assault. 31. From on or about June 16, 2014 until plaintiff was indicted on July 31, 2014, the focus of the investigation involved plaintiff because plaintiff was the ex-spouse of Alma Noffsinger, the parties having been divorced on or about May 21, 1981. It was the conclusion of defendants Siegler, Brown McClary, concurred to by defendants Lers, Garcia Hanenkratt that the violent murder committed in this case was by a person very close to the decedent was Steven G. Noffsinger. 32. Prior to decedent s marriage to plaintiff she had been married to David Delgado, Sr. (hereinafter David ) this marriage produced two children who in December, 1981 were in the custody of David. 33. In December, 1981 David was not married but lived with a woman named Maria 9

Case 315-cv-01552-JJH Doc # 1 Filed 08/07/15 10 of 20. PageID # 10 Gaucin aka Maria Gaucin Delgado (hereinafter Maria ). 34. Upon information belief, Alma Noffsinger purportedly attempted to reconcile with her first husb, David, which caused Maria to become jealous angry with Alma Noffsinger. 35. In December, 1981 January, 1982 the Paulding County Sheriff s Office interviewed plaintiff Steven Noffsinger David Delgado, Sr. but did not make any arrest. 36. Upon information belief, Maria was interviewed failed an investigative polygraph in January, 1982, but no further investigation was conducted as to her involvement. 37. Defendants Brown Hanenkratt traveled to Houston, Texas as part of the June, 2014 investigation eliminated David Maria as suspects after a brief interview with each. 38. Defendants Garcia Hanenkratt interviewed retired Oakwood Police Officers Elmer Adams Frank Marvin on June 23, 2014. Both officers stated that they had personally observed the truck of a known third-party, not the plaintiff, to be parked at or near the home of Alma Noffsinger on the night of December 15, 1981 for an extended period of time. The officers learned of the third party s identity because they checked the license plate of said truck on their law enforcement data base. 39. On June 23, 2014 the known third-party was interviewed briefly during the 2014 investigation by Garcia Hanenkratt, but he denied ever being at the home of Alma Noffsinger no further investigation was conducted as to his involvement. 40. Despite the known third-party s truck having been placed at the home of Alma Noffsinger upon observation by two former Oakwood police officers, during the time period in which she was murdered, the third-party was not considered a suspect by defendants Siegler, 10

Case 315-cv-01552-JJH Doc # 1 Filed 08/07/15 11 of 20. PageID # 11 McClary, Brown, Lers, Garcia or Hanenkratt. 41. Upon information belief, defendants Siegler, McClary Brown concluded their investigative work with defendants Lers, Garcia, Hanenkratt with the agreed upon conclusion that plaintiff had committed the homicide of Alma Noffsinger defendants Lers, Garcia Hanenkratt would present the same to the county prosecutor for charges against plaintiff. 42. Upon information belief defendants Siegler, McClary Brown informed defendants Lers, Garcia Hanenkratt that the television production would not be published unless an indictment was filed. 43. On July 31, 2014 a Special Paulding County, Ohio Gr Jury was convened to hear evidence specifically against plaintiff, who was then indicted on one count of aggravated murder with a specification for the death of Alma Noffsinger. 44. On or about August 1, 2014 plaintiff was arrested on the aforementioned indictment held without bond until his trial which ended on May 1, 2015. 45. On or about August 1, 2014, Lers conducted a press conference/release wherein Lers announced that plaintiff had been arrested for the murder of Alma Noffsinger. Lers announced that he had reopened the investigation. Lers then announced, Deputy Rob Garcia Lt. Brion Hanenkratt have put a lot of man hours into this cold case over the past several months, along with cold case investigators that were brought in to assist our office.... The press release did not indicate a possible motive for the killing. Lers would not go into detail about the evidence that was presented to the gr jury, which gave police the okay to arrest Noffsinger. We don t put the whole case in front of them, Lers said. They don t make a 11

Case 315-cv-01552-JJH Doc # 1 Filed 08/07/15 12 of 20. PageID # 12 guilty verdict. Lers said he expected Noffsinger to make his initial court appearance next week. Aggravated murder with specification makes this a capital case, Lers said. As far as the legal system goes, there s a whole different set of books that goes along with it when you look at potential death penalty cases. 46. Lers publication press release was false, malicious, in reckless disregard of plaintiff s civil rights. 47. On or about August 8, 2014 defendants TNT, Wolf Magical Elves maliciously published a television production known as Cold Justice, Season 2, Episode 17" for general public consumption depicting plaintiff as the murderer of Alma Noffsinger. 48. A jury trial was conducted from April 27, 2015 until May 1, 2015 which resulted in a not guilty verdict in favor of plaintiff plaintiff was released from custody after 264 days incarceration. FIRST CLAIM (Invasion of Privacy False Light) 49. Plaintiff reaffirms re-alleges the claims set forth in paragraphs 1 through 48 above as if fully rewritten herein. 50. Defendants TNT, Wolf, Magical Elves, Siegler, McClary Brown, jointly severally with defendants Lers, Garcia Hanenkratt, caused to be published Season 2, Episode 17" of the television production Cold Justice when it was broadcast on major network television for general public consumption the production concluded that plaintiff was the perpetrator of the homicide of Alma Noffsinger. Said publication continues to be published to date as outlined in paragraph 16 above. 12

Case 315-cv-01552-JJH Doc # 1 Filed 08/07/15 13 of 20. PageID # 13 51. The publicity of said television production invaded plaintiff s privacy by placing plaintiff before the public at large in a false light because the television production contained false inaccurate statements about plaintiff. 52. The false light in which plaintiff was placed would be highly offensive to a reasonable person because it depicted plaintiff as the perpetrator of the homicide of Alma Noffsinger. 53. The production, taken as a whole, leaves the unmistakable impression with the audience that the plaintiff is a killer, specifically, that he was the perpetrator in the murder of Alma Noffsinger, without ever mentioning that the State of Ohio determined not to pursue the matter with the evidence it had in 1981, which was more than the evidence presented in the production. 54. Defendants knew, or acted in reckless disregard, as to the falsity of the publicized matter the false light in which plaintiff was placed. 55. Plaintiff sustained damages as a direct proximate result of defendants invasion of privacy by placing plaintiff in a false light in such a manner as to cause mental distress, shame, humiliation to Plaintiff injury to his sting in the community. SECOND CLAIM 42 U.S. C. 1983 (Violation of Civil Rights by Malicious Prosecution) 56. Plaintiff reaffirms re-alleges the claims set forth in paragraphs 1 through 55 above as if fully rewritten herein. 57. Acting under color of state law, defendants Lers, Garcia Hanenkratt filed investigative reports in order to create probable cause when the totality of the evidence indicated 13

Case 315-cv-01552-JJH Doc # 1 Filed 08/07/15 14 of 20. PageID # 14 the perpetrator of the homicide of Alma Noffsinger was not plaintiff, but a third party present at decedent s residence during the time frame of the homicide. 58. Acting under color of state law, defendants Lers, Garcia Hanenkratt in conjunction with the participation of at the direction of defendants Siegler, McClary Brown prosecuted arrested plaintiff upon criminal charges when they knew, or should have known, that plaintiff was not the perpetrator of the homicide were without probable cause to forward the case to the Paulding County, Ohio Prosecuting Attorney for presentation to the Paulding County Gr Jury resultant indictment. 59. Acting under color of state law, Defendants Lers, Garcia Hanenkratt influenced, participated aided in the decision to prosecute plaintiff for the murder of Alma Noffsinger when said defendants presented the findings conclusions of the June, 2014 investigation to the Paulding County Prosecutor prior to wrapping up filming of the television production. 60. Defendants Lers, Garcia Hanenkratt were informed by defendants Siegler, McClary Brown that the television production would not be published unless an indictment was filed. 61. Defendants Lers, Garcia Hanenkratt s conduct was with malice for the express purpose of obtaining the publicity promised by defendants Siegler, Brown McClary. 62. The indictment subsequent criminal proceeding against plaintiff, which included plaintiff s arrest subsequent incarceration in lieu of bond from on or about August 1, 2014 until on or about May 1, 2015, was resolved by a jury trial in which a not guilty verdict was rendered in plaintiff s favor. 14

Case 315-cv-01552-JJH Doc # 1 Filed 08/07/15 15 of 20. PageID # 15 63. Such malicious criminal prosecution deprived plaintiff of his constitutional civil rights including his right to be free from an unreasonable seizure as guaranteed by the Fourth Fourteenth Amendments to the United States Constitution. 64. As a direct proximate result of the above, plaintiff suffered loss of reputation, humiliation, disgrace, severe physical mental injuries for which these defendants are liable. THIRD CAUSE OF ACTION (42 USC 1983) (Conspiracy to Violate Plaintiff s Civil Rights) 65. Plaintiff reaffirms re-alleges the claims set forth in paragraphs 1 through 64 above as if fully rewritten herein. 66. Acting under color of state law, the defendants Lers, Garcia Hanenkratt conspired, agreed, acted with other defendants, Wolf, Magical Elves, Siegler, McClary Brown in the criminal prosecution of plaintiff when all defendants knew, or should have known, that plaintiff was not involved in the homicide based upon the totality of the evidence. 67. Defendants Siegler, McClary, Brown concluded their June, 2014 investigation with defendants Lers, Garcia Hanenkratt with the agreed upon conclusion that plaintiff was the perpetrator of the homicide of Alma Noffsinger that defendants Lers, Garcia Hanenkratt would present the same to the Paulding County Prosecutor for charges against plaintiff. 68. As a result of defendants June, 2014 investigation, a Special Paulding County Gr Jury was convened on July 31, 2014 to hear evidence specifically against plaintiff, who was then indicted on one count of aggravated murder for the death of Alma Noffsinger. 15

Case 315-cv-01552-JJH Doc # 1 Filed 08/07/15 16 of 20. PageID # 16 69. On or about August 1, 2014, plaintiff was arrested on the aforementioned indictment held in lieu of bond until the conclusion of his trial on May 1, 2015. 70. Such conspiracy deprived plaintiff of his constitutional rights including his right to be free from unreasonable seizure as guaranteed by the Fourth Fourteenth Amendments to the United States Constitution. 71. As a direct proximate result of the above, plaintiff suffered loss of reputation, humiliation, disgrace, severe physical mental injuries for which these defendants are liable. FOURTH CAUSE OF ACTION (Defamation) 72. Plaintiff reaffirms re-alleges the claims set forth in paragraphs 1 through 71 above as if fully rewritten herein. 73. Plaintiff is a life long residence of the Defiance County/Paulding County, Ohio area. 74. On or about August 8, 2014 defendants TNT, Wolf, Magical Elves, Siegler, McClary Brown caused to be published Season 2, Episode 17" of the television production Cold Justice when it was broadcast on major network television for general public consumption the production concluded published that plaintiff was a liar the perpetrator of the homicide of Alma Noffsinger. 75. Said publication was false defamatory to plaintiff because it conveys to the average viewer that plaintiff was a murderer. 76. Defendants knew, or should have known, said conclusion was false published the same willfully with actual malice toward plaintiff. 16

Case 315-cv-01552-JJH Doc # 1 Filed 08/07/15 17 of 20. PageID # 17 77. Said conclusion has caused plaintiff damage to his reputation plaintiff has suffered great pain mental anguish. FIFTH CAUSE OF ACTION (State Law Claim for Malicious Prosecution) 78. Plaintiff reaffirms re-alleges the claims set forth in paragraphs 1 through 77 above as if fully rewritten herein 79. Defendants Lers, Garcia Hanenkratt filed investigative reports in order to create probable cause when the totality of the evidence indicated the perpetrator of the homicide of Alma Noffsinger was not plaintiff, but a third party present at decedent s residence during the time frame of the homicide. 80. Defendants Lers, Garcia Hanenkratt in conjunction with the participation of at the direction of defendants Siegler, McClary Brown prosecuted arrested plaintiff upon criminal charges when they knew, or should have known, that plaintiff was not the perpetrator of the homicide were without probable cause to forward the case to the Paulding County, Ohio Prosecuting Attorney for presentation to the Paulding County Gr Jury resultant indictment. 81. Defendants Lers, Garcia Hanenkratt influenced, participated aided in the decision to prosecute plaintiff for the murder of Alma Noffsinger when said defendants presented the findings conclusions of the June, 2014 investigation to the Paulding County Prosecutor prior to wrapping up filming of the television production. 82. Defendants Lers, Garcia Hanenkratt were informed by defendants Siegler, McClary Brown that the television production would not be published unless an indictment 17

Case 315-cv-01552-JJH Doc # 1 Filed 08/07/15 18 of 20. PageID # 18 was filed. 83. Defendants Lers, Garcia Hanenkratt s conduct was with malice for the express purpose of obtaining the publicity promised by defendants Siegler, Brown McClary. 84. The indictment subsequent criminal proceeding against plaintiff, which included plaintiff s arrest subsequent incarceration in lieu of bond from on or about August 1, 2014 until on or about May 1, 2015, was resolved by a jury trial in which a not guilty verdict was rendered in plaintiff s favor. 85. As a direct proximate result of the above, plaintiff suffered loss of reputation, humiliation, disgrace, severe physical mental injuries for which these defendants are liable. SIXTH CAUSE OF ACTION (Intentional or Reckless Infliction of Severe Emotional Distress) 86. Plaintiff reaffirms re-alleges the claims set forth in paragraphs 1 through 85 above as if fully rewritten herein. 87. From June 16, 2014 through the present defendants caused plaintiff to be exposed to great public humiliation, distrust shame which is ongoing. 88. On or about August 8, 2014 defendants TNT, Wolf, Magical Elves, Siegler, McClary Brown caused to be published Season 2, Episode 17" of the television production Cold Justice when it was broadcast on major network television for general public consumption the production concluded published that plaintiff was the perpetrator of the homicide of Alma Noffsinger described plaintiff s alleged conduct in a manner that further ridiculed humiliated plaintiff. 89. Defendants Siegler, McClary Brown conducted the June, 2014 investigation with 18

Case 315-cv-01552-JJH Doc # 1 Filed 08/07/15 19 of 20. PageID # 19 the preconceived idea that a family member, ultimately plaintiff, committed a heinous homicide without any evidence of the same. 90. Defendants Lers, Garcia Hanenkratt conducted the June, 2014 investigation with the preconceived idea that a family member, ultimately plaintiff, committed a heinous homicide without any evidence of the same. 91. Defendants, individually in concert, acted intentionally or recklessly, knew or should have known, that their actions would result in serious emotional distress to plaintiff. 92. Defendants conduct exceeded all possible bounds of decency. 93. Defendants actions proximately caused plaintiff to suffer psychological injuries severe mental anguish. 94. Plaintiff will sustain medical expenses in the future due to the psychological injuries severe mental anguish caused by Defendants actions. WHEREFORE, plaintiff Steven G. Noffsinger requests that this Court (a) Enter judgment in his favor against the defendants, jointly severally; (b) Award compensatory damages in an amount that exceeds $75,000.00 to be shown at trial; (c) Award punitive damages except as to units of government; (d) Award all costs expenses incurred in the prosecution of the action; (e) Award reasonable attorneys fees as provided by 42 USC 1988; (f) Award such other relief as the Court deems just proper. 19

Case 315-cv-01552-JJH Doc # 1 Filed 08/07/15 20 of 20. PageID # 20 Respectfully submitted, RUMER & MAISCH CO., LLC /s/ Michael A. Rumer Michael A. Rumer, (0006626) /s/ Victoria Maisch Rumer Victoria Maisch Rumer, (0063440) /s/ Zachary D. Maisch Zachary D. Maisch, (0085926) /s/ Andrea M. Brown Andrea M. Brown, (0089451) 212 N. Elizabeth Street, Suite 410 ATTORNEYS FOR PLAINTIFF 20