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IN THE UNITED STATE DISTRICT COURT FOR THE WESTERN DISTRICT OF MISSOURI SOUTHERN DIVISION MONICA DANIEL HUTCHISON, ) ) Plaintiff, ) ) Case No.: 09-3018-CV-S-RED vs. ) ) Jury Trial Demanded TEXAS COUNTY, MISSOURI; ) MICHAEL R. ANDERSON, ) TEXAS COUNTY PROSECUTING ) ATTORNEY; and ) MICHAEL R. ANDERSON, individually ) ) Defendants. ) COMPLAINT GENERAL ALLEGATIONS Plaintiff, Monica Daniel Hutchison, for her cause of action, states as follows: 1. Plaintiff Monica Daniel Hutchison is a female citizen of the United States of America and of Crawford County, Missouri. 2. Texas County, Missouri is a political subdivision of the State of Missouri existing under the laws of the State of Missouri, and created by 46.040 and 46.156, RSMo. 3. Michael Anderson is and was at all relevant times herein the Texas County, Missouri Prosecuting Attorney, an elected official of Texas County, Missouri, and was and is a resident of Texas County, Missouri. 4. All, or substantially all, of the acts and omissions alleged in this complaint occurred in Texas County, Missouri. 1

COUNT I - EMPLOYMENT DISCRIMINATION 5. This action arises under the First and Fourteenth Amendments to the Constitution of the United States, as well as other federal and state law, particularly, 42 U.S.C. Section 2000e, et seq. 6. This Court has jurisdiction of the federal claims by virtue of 28 U.S.C. Section 1343 and 28 U.S.C. Section 1331. 7. This Court has jurisdiction of the state law claim pursuant to the doctrine of pendent jurisdiction. 8. Venue in this Court is proper by virtue of 28 U.S.C. Section 1391 and 28 U.S.C. Section 105(b)(5). 9. Defendants Texas County, Missouri and Michael R. Anderson as Prosecuting Attorney of Texas County, Missouri are employers within the meaning of Section 213.010(7) RSMo. and 42 U.S.C. Section 2000e. 10. Plaintiff timely filed charges with the Equal Employment Opportunity Commission ( EEOC ) related to the allegations contained in this complaint and received notice of her right to file suit within ninety (90) days of the receipt of said letter from the U.S. Department of Justice (a copy of which notice is attached hereto as Plaintiff s Exhibit A); all conditions precedent to the instant action have been performed by plaintiff and she has exhausted all administrative remedies available to her. 11. Plaintiff was employed by Defendants Texas County, Missouri and Michael R. Anderson, Prosecuting Attorney of Texas County, Missouri, as an administrative assistant in the Texas County Prosecuting Attorney s office from January 2003 until December 23, 2005. Texas 2

County, Missouri had delegated the power to hire and fire plaintiff and other employees of the Texas County Prosecuting Attorney s Office to defendant Anderson. 12. During the period of time that plaintiff was employed by those defendants her immediate supervisor was Michael R. Anderson. Michael R. Anderson created a sexual hostile work environment and discriminated against plaintiff because of her sex. Specifically, Michael R. Anderson engaged in unwelcome and non-consensual physical contact of a sexual nature with plaintiff, used offensive and abusive language toward her, harassed her, intimidated her, made degrading and sexual comments in front of her, and created a hostile work environment based upon her sex. Furthermore, plaintiff indicated by looks and words to Michael R. Anderson that the language and conduct described above was unwelcomed by her, and the conduct described above would be unwelcomed by a reasonable woman. Examples of the aforementioned conduct include, but are not limited, to the following: a) Michael R. Anderson on several different occasions, while his wife was out of town, asked plaintiff to come to his house and get in his hot tub with him; b) On several occasions, Michael R. Anderson commented to plaintiff how good [her] ass looked in [her] jeans ; c) Defendant Michael R. Anderson repeatedly attempted to get plaintiff to go out for a drink with him after work; d) When plaintiff was around defendant Anderson, he would be stare or gaze at plaintiff s body in a lude way, then would smile at plaintiff and raise his eyebrows. On numerous occasions when defendant Anderson did this, plaintiff told him to stop being disgusting. Defendant Anderson responded Come on, let me flirt with you. Plaintiff repeated that defendant Anderson was creeping her out and should stop; 3

e) Defendant Anderson on several occasions attempted to get plaintiff to go riding on his motorcycle with him and, on one occasion, showed up at plaintiff s house on his motorcycle. Plaintiff was home, but did not go to the door because plaintiff did not feel it was appropriate for Anderson to come to her home without being invited and without his wife. Defendant Anderson stayed in plaintiff s driveway for a while after knocking on plaintiff s front door, as if he was working on his motorcycle; f) Defendant Anderson made comments about men plaintiff was dating, saying thing such as What does he have that I don t have ; g) At a training meeting for the entire staff of the Texas County Prosecuting Attorney s office at the Lake of the Ozarks, defendant Anderson offered his room key to plaintiff; h) At another training meeting at Tan Tara Resort at the Lake of the Ozarks, on September 1, 2005, the staff of the Texas County Prosecuting Attorney s office, including defendant Anderson and plaintiff, went to dinner together and then returned to the hotel lounge for a drink. Music was playing and plaintiff and two other secretaries began dancing. A man started dancing with plaintiff and another of the secretaries, then came over to the table where the prosecuting attorney s staff was and introduced himself to the other secretary and defendant Anderson. When he tried to shake defendant Anderson s hand, defendant Anderson stood up, glared at him, and shook his hand real hard. When plaintiff told Mr. Anderson as they left the lounge that she thought he was rude to the man who had introduced himself, defendant Anderson got mad and said Well how did he know that I wasn t with one of you. Plaintiff told defendant Anderson that he was not her boyfriend or her father, upon which defendant Anderson threw his drink up against the building and walked off.; 4

i) After the Tan Tara incident described above, plaintiff told defendant Anderson that he had embarrassed her and made it look like there was something going on between them, which there wasn t. Plaintiff further told him that she just wanted to do her job and be left alone. However, defendant Anderson s inappropriate conduct continued; j) On November 25, 2005, a friend of plaintiff s had a Thanksgiving dinner at his house, and among the guests was defendant Anderson. Plaintiff tried to avoid defendant Anderson all evening. When plaintiff got home that evening, defendant Anderson called plaintiff s house and left a message asking where a file was, although plaintiff had told him where the file was earlier that evening; k) On December 1, 2005, defendant Anderson called plaintiff into his office and told her that plaintiff had been saying things about him and that she was putting together evidence together to file a sexual harassment suit against him, and that he felt he had no choice but to fire her. Defendant Anderson told plaintiff she could either resign or be fired, and to go home and think about it and let him know the next morning. The next morning plaintiff told defendant Anderson that he would have to fire her because she had done nothing wrong, and defendant Anderson terminated plaintiff s employment; l) Approximately a week later, plaintiff received a telephone call from Corporal Jeff Kinder of the Missouri Highway Patrol who informed her that defendant Anderson had asked him to call plaintiff to see if plaintiff would come back to work and that defendant Anderson said he was sorry. Corporal Kinder said defendant Anderson really wanted to talk to plaintiff about coming back. Plaintiff did return to work on December 12, 2005 after she met with defendant Anderson and he apologized. Plaintiff felt that she had no choice because she needed a job and it was close to Christmas; 5

m) On December 18, 2005, a friend of plaintiff s, Mildred Williams, who was a Court Clerk for Texas County Judge Bradford Elsworth, stayed overnight at plaintiff s house. At approximately 1:20 a.m. that morning, plaintiff s home telephone rang and the answering machine picked up. Defendant Anderson left a message stating that he was coming over and that he had something to tell her. Plaintiff and her friend turned the lights off in the house, but defendant Anderson arrived at plaintiff s home and knocked on her front door. Plaintiff did not answer the door, and after a few minutes defendant Anderson returned to his vehicle. Plaintiff s home phone rang again and defendant Anderson left another message to the effect of send the boy out, I want to talk to you, I have something to tell you. Defendant Anderson then came back to the front door and banged on it and went back to his vehicle and made another call, but hung up. Plaintiff heard defendant Anderson get back out of his vehicle, slam his door very hard, and stomp up the stairs to her door. Defendant Anderson beat on the door and even wiggled the door handles trying to open it. Defendant Anderson then left the front door and went to the car port door and started banging on it real hard. Defendant Anderson was mad, and plaintiff heard him say Ignore me you fucking bitch. Plaintiff then called the Licking Police Department, and as soon as the officer on duty drove by, defendant Anderson left plaintiff s house. Defendant Anderson then called plaintiff s house again and left a long message on plaintiff s answering machine indicating that he had feelings for plaintiff and that he loved her; n) After this incident, defendant Anderson left several more phone messages and kept pestering plaintiff and attempting to get the answering machine tape from her, and she could no longer tolerate the sexually harassing and abusive work environment created by defendants; o) On December 23, 2005, after unsuccessfully attempting to get plaintiff to give him the answering machine tape, defendant Anderson went to Judge Elsworth and obtained an order 6

for plaintiff to produce the tape to him. Plaintiff resigned at that time as a result of her constructive discharge after handing a copy of the tape to the Judge. 13. The actions of defendant Michael R. Anderson, described in paragraph 12 of Count I of this complaint were done in his capacity as Texas County Prosecutor and as an agent of Texas County, Missouri, and were offensive, constituted sexual harassment, and created a hostile work environment for plaintiff based upon her sex, which harassment affected a term, condition, or privilege of employment. The acts were also sufficiently pervasive to seriously affect the working environment of plaintiff. Plaintiff s eventual termination of employment was the result of a constructive discharge created by the conduct and environment described above. 14. Defendant Texas County, Missouri, by failing to prevent or take action that would stop the continued harassment of plaintiff, created a hostile work environment for plaintiff based upon her sex, which harassment affected a term, condition, or privilege of employment. Defendant Texas County, Missouri s actions or inaction in permitting the sexual hostile environment to occur and continue were intentional, permitting plaintiff to make a claim for punitive damages. 15. Texas County Prosecuting Attorney Anderson s actions were discriminatory towards plaintiff as male employees were not subjected to the same type of harassment. 16. As a direct and proximate result of defendants actions alleged herein, plaintiff has been damaged and continues to sustain irreparable harm in numerous respects, including, but not limited to, the following: a) She has suffered loss of self esteem and emotional distress, and continues to sustain significant mental anguish; b) She sustained embarrassment and loss of prestige from her colleagues and coworkers as a direct result of the harassment suffered while she worked for defendants; 7

c) She was constructively discharged from her employment, causing her to lose wages, income and benefits; d) She has incurred attorney s fees and expenses in pursuing redress of the wrongs she has suffered by the hands of the defendants. WHEREFORE, plaintiff prays this Court grant her the following relief: a) An order requiring defendants Texas County, Missouri and Michael R. Anderson as Prosecuting Attorney of Texas County, Missouri to take such steps as may be necessary to protect plaintiff from further harassment from any employee of defendants; b) A judgment against defendants Texas County, Missouri and Michael R. Anderson as Prosecuting Attorney of Texas County, Missouri and in favor of plaintiff for payment of compensatory damages for her emotional pain and suffering, mental anguish, inconvenience, lost wages, employment benefits and income, and loss of enjoyment of life as a direct result of defendants intentional discrimination; c) An order requiring defendants Texas County, Missouri and Michael R. Anderson as Prosecuting Attorney of Texas County, Missouri to pay plaintiff her attorney s fees, costs, and expenses of this litigation; d) A judgment against defendants Texas County, Missouri and Michael R. Anderson as Prosecuting Attorney of Texas County, Missouri in favor of plaintiff for such punitive damages as allowed by law in order to deter defendants and other similar employers from future discriminatory conduct; e) For such further and other relief as the Court deems just and proper. 8

COUNT II RETALIATION Plaintiff, Monica Daniel Hutchison, for Count II of her claim and cause of action against defendants Texas County, Missouri and Michael R. Anderson as Prosecuting Attorney of Texas County, Missouri, alleges and states as follows: 1. Plaintiff incorporates by reference as if fully set forth herein Paragraphs 1 through 4 of the General Allegations and Paragraphs 5 through 16 of Count I of this petition. 2. Since making complaints about acts of sexual discrimination and sexual harassment described above, which were brought to the attention of the defendants Texas County, Missouri and Michael R. Anderson as Prosecuting Attorney of Texas County, Missouri, plaintiff has been subjected to numerous acts constituting retaliation in violation of Title VII and 42 U.S.C. 2000(e), et seq., for protected activity engaged in by plaintiff. Such actions include, by way of example, but are not limited to, the following: a) Defendant Michael R. Anderson, Prosecuting Attorney of Texas County, Missouri, fired plaintiff because he understood that plaintiff was putting together evidence to file a sexual harassment suit against him ; b) Defendant Michael R. Anderson, Prosecuting Attorney of Texas County, Missouri, pressured plaintiff to turn over evidence pertaining to her claim of sexual harassment, specifically, the answering machine tape containing messages left by defendant Michael R. Anderson; c) Plaintiff filed her notice of charge of discrimination on or about February 15, 2006, and perfected her charge of discrimination on May 17, 2006. d) On May 31, 2006, defendant Michael R. Anderson, Prosecuting Attorney of Texas County, Missouri, filed a damage complaint against plaintiff Monica Daniel (Hutchison), 9

claiming that he had been libeled and slandered by plaintiff Monica Daniel (Hutchison). A copy of said damage complaint is attached hereto as Exhibit B, and incorporated by reference as in fully set forth herein. 3. As a direct and proximate result of the aforesaid actions of defendant Michael R. Anderson as Prosecuting Attorney of Texas County, Missouri, plaintiff has suffered damages and continues to sustain irreparable harm in numerous respects, including, but not limited to, the following: a) She has suffered loss of self esteem and emotional distress, and continues to sustain significant mental anguish; b) She sustained embarrassment and loss of prestige among her colleagues and co-workers, and among the general public; c) She has incurred attorney s fees and expenses in pursuing redress of the wrong she has suffered by the hands of defendants. 4. Defendant Texas County, Missouri knew or should have known of the above described retaliation, which was taken by its agent, Michael R. Anderson, as Prosecuting Attorney of Texas County, Missouri. 5. The actions of defendants Texas County, Missouri and Michael R. Anderson as Prosecuting Attorney of Texas County, Missouri in retaliating and permitting the retaliation to occur is intentional, permitting plaintiff to make a claim for punitive damages. WHEREFORE, plaintiff prays this Court grant her the following relief: a) An order requiring defendants Texas County, Missouri and Michael R. Anderson as Prosecuting Attorney of Texas County, Missouri to take such steps as may be necessary to protect plaintiff from further harassment from any employee of defendants; 10

b) A judgment against defendants Texas County, Missouri and Michael R. Anderson as Prosecuting Attorney of Texas County, Missouri and in favor of plaintiff for payment of compensatory damages for her emotional pain and suffering, mental anguish, inconvenience, and loss of enjoyment of life as a direct result of defendants intentional discrimination; c) An order requiring defendants Texas County, Missouri and Michael R. Anderson as Prosecuting Attorney of Texas County, Missouri to pay plaintiff her attorney s fees, costs and expenses of this litigation; d) A judgment against defendants Texas County, Missouri and Michael R. Anderson as Prosecuting Attorney of Texas County, Missouri and in favor of plaintiff for punitive damages as allowed by law in order to deter defendants and other similar employers from future discriminatory conduct; e) For such further and other relief as the Court deems just and proper. COUNT III EMPLOYMENT DISCRIMINATION STATE LAW CLAIMS Plaintiff, Monica Daniel Hutchison, pursuant to Chapter 213 of the Revised Statutes of Missouri, for her claims and causes of actions against defendants Texas County, Missouri and Michael R. Anderson as Prosecuting Attorney of Texas County, Missouri states to the Court as follows: 1. Plaintiff hereby realleges and incorporates by reference as if fully set forth herein in Paragraphs 1 through 4 of the General Allegations and Paragraphs 5 through 16 of Count I and Paragraphs 1 through 5 of Count II of this Complaint. 2. Defendants Texas County, Missouri, and Michael R. Anderson, Texas County Prosecuting Attorney, are employers within the meaning of Section 213.010(7), RSMo. 11

3. Plaintiff has complied with all requirements of Section 213.111, RSMo. 4. By means of the practices alleged more specifically in Count I and Count II of this Complaint, defendants intentionally and maliciously discriminated against plaintiff on account of her sex with respect to the terms, conditions, or privileges of her employment, in violation of Section 213.055, RSMo. 5. In violation of Section 213.070, RSMo., defendants Texas County, Missouri and Michael R. Anderson as Prosecuting Attorney of Texas County, Missouri have willfully and maliciously perpetrated a pattern of intentional discrimination against plaintiff and willfully and maliciously retaliated and discriminated against her on account of her complaining of the harassment she suffered and the hostile work environment created by defendants Texas County, Missouri and Michael R. Anderson as Prosecuting Attorney of Texas County, Missouri. 6. As a result of those defendants actions, plaintiff has sustained damages, as more specifically alleged in Paragraph 16 of Count I and Paragraph 3 of Count II of this Complaint. WHEREFORE, plaintiff prays that, pursuant to Section 213.111, RSMo., the Court grant her the following relief: a) An order requiring defendants Texas County, Missouri and Michael R. Anderson, Prosecuting Attorney for Texas County, Missouri to take such steps as may be necessary to protect plaintiff from further harassment from any employee of those defendants; b) A judgment against defendants Texas County, Missouri and Michael R. Anderson, Texas County Prosecuting Attorney, and in favor of plaintiff for payment of compensatory damages for her emotional pain and suffering, mental anguish, inconvenience, and loss of enjoyment of life as a direct result of those defendants intentional discrimination; 12

c) An order requiring defendants Texas County, Missouri and Michael R. Anderson, Prosecuting Attorney for Texas County, Missouri to pay plaintiff her attorney s fees, costs and expenses of this litigation; d) A judgment against defendants Texas County, Missouri and Michael R. Anderson, Texas County Prosecuting Attorney, and in favor of plaintiff for punitive damages as allowed by law in order to deter defendants and other similar employers from future discriminatory conduct; e) For such further and other relief as the Court deems just and proper. COUNT IV MALICIOUS PROSECUTION Plaintiff, Monica Daniel Hutchison, for Count IV of her claim and cause of action against defendant Michael R. Anderson, individually and as Texas County Prosecuting Attorney, alleges and states as follows: 1. Plaintiff incorporates by reference as if fully set forth herein Paragraphs 1 through 4 of the General Allegations and Paragraphs 5 through 16 of Count I of this Complaint, Paragraphs 1 through 5 of Count II of this Complaint, and Paragraphs 1 through 6 of Count III of this Complaint. 2. Defendant Michael R. Anderson commenced and instigated a civil lawsuit against plaintiff on May 31, 2006, a copy of which is attached hereto as Exhibit B, and incorporated by reference as if fully set forth herein. 3. Said lawsuit was dismissed without prejudice on July 10, 2006 by defendant Michael R. Anderson. 4. Defendant Michael R. Anderson has subsequently abandoned that lawsuit, and that litigation has therefore terminated in favor of plaintiff. 13

5. Defendant Michael R. Anderson lacked probable cause for filing the lawsuit against plaintiff and did not have a belief in the facts that he alleged in that lawsuit, based on sufficient circumstances to reasonably induce such belief by a person of reasonable prudence in the same or similar situation, and did not have a reasonable belief that under such facts his claim was valid under the applicable law. 6. Defendant Michael R. Anderson instituted and commenced the lawsuit against plaintiff maliciously and without reasonable grounds. 7. In instigating and prosecuting the above referenced civil lawsuit against plaintiff, defendant Michael R. Anderson acted with an improper or wrongful motive constituting legal malice and entitling plaintiff to punitive damages herein. Defendant Michael R. Anderson s improper or wrongful motive including illegally retaliating against plaintiff for filing a charge of sexual harassment and attempting to intimidate or coerce her into not exercising her legal rights to seek redress for defendants sexual harassment as alleged herein. 8. As a direct and proximate result of the aforesaid actions of defendant Michael R. Anderson, plaintiff has suffered damages and continues to sustain irreparable harm in numerous respects, including, but not limited to, the following: a) She has suffered loss of self esteem, emotional distress and significant mental anguish; b) She sustained embarrassment, loss of prestige and public humiliation; c) She has incurred attorney s fees and expenses in defending herself against the civil lawsuit filed against her by defendant Michael R. Anderson. 14

9. Defendant Michael R. Anderson s actions alleged herein with respect to his malicious prosecution of a lawsuit against plaintiff was outrageous because of his evil motive or reckless indifference to the rights of others, entitling plaintiff to compensation for punitive damages. WHEREFORE, plaintiff prays this Court grant her the following relief: a) A judgment against defendant Michael R. Anderson, individually and as Texas County Prosecuting Attorney, and in favor of plaintiff for payment of compensatory damages for her emotional pain and suffering, embarrassment and humiliation, mental anguish, costs and expenses in defending herself against defendant Michael R. Anderson s civil lawsuit against her, and her loss of enjoyment of life as a direct result of defendant Michael R. Anderson s malicious prosecution of the lawsuit against plaintiff; b) A judgment against defendant Michael R. Anderson, individually and as Texas County Prosecuting Attorney, and in favor of plaintiff for punitive damages as allowed by law in order to deter defendant and others from like conduct; c) For such further and other relief as the Court deems just and proper. COUNT V ABUSE OF PROCESS Plaintiff, Monica Daniel Hutchison, for Count V of her claim and cause of action against defendant Michael R. Anderson, individually and as Texas County Prosecuting Attorney, alleges and states as follows: 1. Plaintiff incorporates by reference as if fully set forth herein Paragraphs 1 through 4 of the General Allegations and Paragraphs 5 through 16 of Count I of this complaint, Paragraphs 1 through 5 of Count II of this Complaint, Paragraphs 1 through 6 of Count III of this Complaint, and Paragraphs 1 through 9 of Count IV of this Complaint. 15

2. Defendant Michael R. Anderson commenced and instigated a civil lawsuit against plaintiff on May 31, 2006, a copy of which is attached hereto as Exhibit B, and incorporated by reference as is fully set forth herein. 3. Said lawsuit was instituted for the unlawful and collateral purpose of quieting plaintiff from making any statements regarding defendant Michael R. Anderson, intimidating plaintiff, and retaliating for plaintiff s exercise of her rights to seek redress for unlawful employment discrimination on the basis of sex, and to coerce plaintiff into ceasing any efforts to seek redress for unlawful employment discrimination on the basis of sex. 4. In filing his lawsuit against plaintiff, defendant Michael R. Anderson made an illegal, improper, and perverted use of process neither warranted or authorized at law. 5. Defendant Michael R. Anderson had no legal purpose in exercising such illegal, improper, and perverted use of process as set forth above. 6. On December 23, 2005, defendant Michael R. Anderson obtained, ex parte, a subpoena for investigation and order to produce documents, a copy of which is attached hereto as Exhibit C and incorporated herein as fully set forth. 7. Said subpoena, obtained by defendant Michael R. Anderson utilizing his position as prosecuting attorney, was illegal and unlawful, and constituted an improper and perverted use of process which was not warranted or authorized. 8. Defendant Michael R. Anderson obtained said subpoena through false pretenses and deceit. 9. Defendant Michael R. Anderson had no legal purpose in obtaining the issuance of said subpoena in that it was obtained to retaliate against plaintiff for exercising her right to seek redress against defendants for illegal employment discrimination on the basis of sex, and to coerce 16

plaintiff into ceasing any efforts to seek redress for unlawful employment discrimination on the basis of sex. 10. As a direct and proximate result of defendant Michael R. Anderson s abuse of process as set forth above, plaintiff was damaged and continues to sustain irreparable harm in numerous respects, including, but not limited to, the following: a) She has suffered loss of self esteem, emotional distress and significant mental anguish; b) She sustained embarrassment, loss of prestige and public humiliation; c) Defendant Michael R. Anderson s actions alleged herein with respect to his abuse of process against plaintiff was outrageous because of his evil motive or reckless indifference to the rights of others, entitling plaintiff to compensation for punitive damages. WHEREFORE, plaintiff prays this Court grant her the following relief: a) A judgment against Michael R. Anderson, individually and as Texas County Prosecuting Attorney, and in favor of plaintiff for payment of compensatory damages for her emotional pain and suffering, embarrassment and humiliation, mental anguish, and her loss of enjoyment of life as a direct result of defendant Michael R. Anderson s abuse of process against plaintiff; b) A judgment against defendant Michael R. Anderson, individually and as Texas County Prosecuting Attorney, and in favor of plaintiff for punitive damages as allowed by law in order to deter defendant and others from like conduct; c) For such further and other relief as the Court deems just and proper. 17

COUNT VI DEFAMATION Plaintiff, Monica Daniel Hutchison, for Count V of her claim and cause of action against defendant Michael R. Anderson, individually and as Texas County Prosecuting Attorney, alleges and states as follows: 1. Plaintiff incorporates by reference as if fully set forth herein Paragraphs 1 through 4 of the General Allegations and Paragraphs 5 through 16 of Count I of this complaint, Paragraphs 1 through 5 of Count II of this Complaint, Paragraphs 1 through 6 of Count III of this Complaint, Paragraphs 1 through 9 of Count IV of this Complaint, and Paragraphs 1 through 10 of Count V of this Complaint. 2. Defendant Michael R. Anderson made false and defamatory statements regarding plaintiff Monica Daniel Hutchison, including that plaintiff used her position in the Texas County Prosecutor s Office to do favors for friends, and to coordinate and orchestrate a swinger style sex ring out of the Texas County Prosecuting Attorney s Office. 3. Said false and defamatory statements were published in writing in the damage complaint filed against plaintiff by defendant Michael R. Anderson and in press releases defendant Michael R. Anderson issued in connection with that lawsuit and were published verbally to reporters, Court personnel, and the public at large. 4. Said communications and conduct by defendant Michael R. Anderson have been read and heard by the public. 5. Defendant Michael R. Anderson acted with reckless disregard for whether or not the information he was disseminating in a malicious, libelous and slanderous fashion as set forth above was true or false at a time when defendant Michael R. Anderson had serious doubts as to whether said information was true and/or knew that said information was false. 18

6. Plaintiff Monica Daniel Hutchison was not and is not a public official or public figure within the meaning of those terms as used in connection with defamation. 7. The false and defamatory statements set forth above tended to expose plaintiff to hatred, contempt, ridicule, and embarrassment, and deprived the plaintiff of the benefit of public confidence and social associations. 8. As a direct and proximate result of the defamatory and false statements of defendant Michael R. Anderson, plaintiff s reputation was damaged. 9. Defendant Michael R. Anderson s actions alleged herein with respect to his defamatory, libelous, and slanderous statements against plaintiff were outrageous because of his evil motive or reckless indifference to the rights of others, entitling plaintiff to compensation for punitive damages. WHEREFORE, plaintiff prays this Court grant her the following relief: a) A judgment against Michael R. Anderson, individually and as Texas County Prosecuting Attorney, and in favor of plaintiff for payment of compensatory damages for her emotional pain and suffering, embarrassment and humiliation, mental anguish, and her loss of enjoyment of life as a direct result of defendant Michael R. Anderson s abuse of process against plaintiff; b) A judgment against defendant Michael R. Anderson, individually and as Texas County Prosecuting Attorney, and in favor of plaintiff for punitive damages as allowed by law in order to deter defendant and others from like conduct; c) For such further and other relief as the Court deems just and proper. 19

DEMAND FOR TRIAL BY JURY Plaintiff hereby makes demand for trial by jury on all counts herein. Respectfully Submitted, STEELMAN, GAUNT & HORSEFIELD By: /s/ David L. Steelman MO Bar #27334 Stephen F. Gaunt MO Bar #33183 901 Pine Street, Ste. 110 P.O. Box 1257 Rolla, MO 65402 Telephone: 573-341-8336 Fax: 573-341-8548 dsteelman@steelmanandgaunt.com sgaunt@steelmanandgaunt.com ATTORNEYS FOR PLAINTIFF 20