Need Some Legal Assistance

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I’m seeking a law firm or lawyer to represent me pro-bono in my complaint.

I have an 8th Amendment cruel and unusual punishment complaint pending in the Circuit Court for the Eight Judicial Circuit Schuyler County, Illinois. Walls V. Donathan, et al. Case no-2021-MR-5.

Claim: 8th Amendment Cruel and Unusual Punishment Complaint due to overly restrictive conditions (See Exhibit plaintiff’s statement File Cover Page).

Cause of actions: The plaintiff’s defense case claims under the SVP-Act proceeding Case No. 03-CR-80002.

The plaintiff’s defense case claims under the SVP Act proceeding is: Malicious prosecution without probably cause because it relied on plaintiff’s confidential juvenile records which is a violation of State and Federal laws, and, 

The prosecutor’s case was based on plaintiff’s involuntary confession in violation of his Fifth Amendment right against self-incrimination, and, plaintiff was denied his right to present two witnesses at his trial to support his defense case claims under the SVP act proceeding Case No. 03-CR-80002.

The plaintiff’s witnesses can provide testimony that the prosecution knowingly petition individuals under the SVP Act using confidential information and with the knowledge that the Detention Facility where the plaintiff is to be housed has policies and practices requiring residents to waive their confidential information, hence, prosecutor’s knowingly filed the petition against the plaintiff in violation of both State and Federal laws with the intention of using State Officials to force a waiver of confidential information and the plaintiff “arrived” at the Detention Facility. Where the prosecutors filed their petition maliciously without probably cause with the use of confidential juvenile records in violation of both State and Federal laws with the intent to force a guilty plea from the plaintiff once he got to the Detention Facility. 

At each stage of the proceedings all of the above State Officials attempted to gain the authority of law to use the plaintiff’s confidential juvenile records against him to gain a conviction/commitment.

That since the day of office of the Illinois Attorney General and the Office of the Cook County State’s Attorney filed the petition in the above captioned matter the prosecution has continually attempted, albeit, unsuccessfully to have the plaintiff participate in any act that would waive the confidentiality of his juvenile records. 

This has resulted in a coordinated campaign by the prosecution with the assistances of several State Facilities and State Employees utilizing both overt and covert techniques to coerce the plaintiff into pleading guilty in the above captioned matter or to waive the Constitutional and Statutory Protections of his confidential juvenile records said waiver would give the prosecution, the authority to use the plaintiff’s confidential juvenile records against him to gain a conviction/commitment. This is at the cause of actions.

Actions are taken place “knowingly and deliberately to gain a” “tactical advantage” over the plaintiff in his SVP Act proceeding case through causing both he and his immediate family members great amount of pain, suffering and death. The complaint is against: Herbert and Irene Caskey/Liberty Health Care Inc., and, Wexford Health Source Inc., who is “contracted” by the Illinois Department of Human Service, Treatment and Detention Facility (IDHS-TDF), 17019 County Farm Rd. Rushville, Illinois 62681 who both trains and hire all “Health-Care Personals, Doctors, Medical Nurses, Dentist Personals and Clinical Staff Personals such as Ph.D. Clinical evaluations and Therapists and “writes” all of the “policies and practices of the program, and for the Director of the Program to follow which “dictates” also to all other security personals.”

The plaintiff is accusing: Herbert and Irene Caskey/Liberty Health Care Inc., and, Wexford Health Source Inc. of: Drafting policies and practices for all its employees to follow and the Director of program to follow which also dictates to all other security staff personals to participate in a “Catch-22 Situation” on all residents of the program who have been petitioned/tried or convicted under the SVP Act proceeding 725 ILCS 207/1, which has led to the plaintiff and all of his immediate family members being exposed to a campaign of harassments to bring “death” to the plaintiff and all his immediate family members to: Circumvent punitive damages law-suits against the prosecutions under the SVP Act proceeding who has illegally detained the plaintiff under the SVP Act proceeding Case No. 03-CR-80002. 

Where a day-to-day practice is taken place at the (IDHS-TDF), to put the plaintiff under great pressure to self-incriminate his self under the SVP Act proceeding to secure a conviction or be deprived of all “Protection Rights” which makes the plaintiff and all of his immediate family members vulnerable to life threaten acts.

All Herbert and Irene Caskey/Liberty Health Care Inc., and, Wexford Health Source Inc. employees and security staff personals are committing (Informant Acts), to all other “Health Care Providers” in society outside the facility and others, this includes “Dentists, Clinics, Hospitals, Nursing Homes, people in the community of society, inmates of all other detention facilities and all (IDOC’s Facilities) encouraging all of them to commit acts upon the plaintiff and all his immediate family members which would lead to their deaths.

The plaintiff has evidence and witnesses to support his evidence that all employees at the (IDHS-TDF) are acting as “Government Informants” for the Cook County State’s Attorney Office located in Chicago, Illinois, and, the Illinois Attorney General Office (See Exhibit 9, attached and made a part of).

The plaintiff can provide evidence that the (IDHS-TDF), Security Staff members are communicating with all other agencies and departments seeking their assistances of law enforcement agencies, the people in the community of society, Illinois Department of Corrections and Social Service Agencies (See Exhibit 12, attached and made a part of).

For “Special Government Functions” (See Exhibit 12, attached and made apart of).

With the assistance of electronic communication and permanent listening devices.

All Herbert and Irene Caskey/Liberty Health Care Inc., and, Wexford Health Source Inc. employees and all Security Staff Personals are making these comments to everybody mentioned here in that they don’t want the plaintiff to be released and total discharged where he can pursue to sue the Prosecutors under the SVP Act proceeding for punitive damages as a result of them illegally detaining the plaintiff under the SVP Act proceeding Case No. 03-CR-80002. That they want the plaintiff to stay detained/incarcerated for the rest of his life to stop it, and, if the plaintiff refuses to commit an act that will secure the conviction under the SVP Act proceeding case on any other criminal law violation offense which would block any possible release that we want “death” to be brought to the plaintiff and all his immediate family members to: circumvent punitive damages law suits against the prosecutions under the SVP Act proceeding for illegally detaining the plaintiff under the SVP Act proceeding Case No. 03-CR-80002.

That they want “everybody” to know so that there’s no escape from it so that it will be “Hostile and unsafe” anywhere he or they may reside or visit to be detained/incarcerated.

That they want everybody, especially, his peers (black people of race), to act as their agents, this includes all black gang members, black Muslims residents in detention, facilities, IDOC facilities and in the public of society to participate in the campaign of harassments against the plaintiff and his immediate family members, which has resulted to the deaths of (4) of his family members.

The plaintiff has an illegal detention “Direct Appeal” proceeding taken place here and now in the Appellate Court of Illinois, First Judicial District Appeal No. 1-18-2630 & 1-15-1075 (Con) (See Exhibit B and A, attached and made a part of).

I’m seeking for relief: Criminal charges be brought against the defendants and any other actions deemed appropriate.

Please respond to this ad through sending email to Info@friendsbeyondthewall.com.

Click to view Exhibits.


Write to me at:

William Walls
#852982 / A-3-2
IDHS Treatment Facility
17019 County Farm Rd.
Rushville IL 62681

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