Wednesday, March 10, 2010

Here is another motion that I am filing tomorrow:



Hillsborough Superior Court, Northern District,

Manchester Family Division

04-M-0441

Motion for Release of Tammy Adams Psychological and Medical Records.

Now comes Michael Emery, Pro Se, and MOTIONS this court to order Tammy Adams to release her medical and psychological records. Michael Emery, provides the following facts in support or this motion:

1. Michael Emery has motioned this court previously for the release of Tammy Adams psychological records.

2. The court has not ordered the release of these records.

3. Tammy Adams has stolen money from me, while she and I lived together.

4. Tammy Adams has abused our son Logan Emery:

a. Tammy Adams allowed our son to have a diaper rash which extended from his belly button, past his crotch, to his lower back for nearly three weeks.

b. Logan had diarrhea for several months.

i. The Pediatrician, Suzanne Schoel, stated it was because Logan ate a carbohydrate rich diet.

ii. Logan was then-five-year old and it is highly likely that he wasn’t driving to the grocery store, purchasing, driving home and preparing his own meals. Given this perfectly clear observation, that would Tammy Adams, or people she allowed to care for him, was/were responsible for the food Logan was eating.

iii. When Logan was with me the diarrhea would improve or go away altogether.

iv. When I reported to the Peterborough Police, and the NH Department of Health and Human Services Bureau of Child Protection, the symptoms stopped immediately.

5. When we lived together Tammy Adams prepared a meal of chicken alfredo for me. The meal had an incredibly powerful metallic taste. The metallic taste was so strong I suspected the food had been tampered with.

a. Immediately after the meal mentioned above, Tammy placed the remaining chicken alfredo into Logan’s dog’s food dish.

b. Less than a year later the dog died.

c. The dog was less than three years old.

d. Before dying the dog was diagnosed as having a completely failed liver.

6. It appears that Tammy Adams has a problem with lying:

    1. Tammy has told her friends and family that I am wealthy. I am not and have never given her any reason to believe that I was.
    2. Tammy has told her friends and family that I was a member of an elite airborne US Army unit. I am not and have never given her any reason to believe that I was.

7. Tammy Adams has given our son instructions while he and I converse on the phone. When I speak with Logan on the phone I can hear her in the back ground instructing Logan.

8. Tammy Adams has telephoned me nearly a dozen times to ‘talk about us’ (her words) despite my repeated pleadings and instructions to her to call me only with information about Logan.

    1. It was not until I complained to the Peterborough Police Department several times and called 911 that Tammy finally stopped calling me about ‘us’ (Tammy’s words).
    2. At this time Tammy also stopped calling me about Logan.

9. Tammy Adams has attempted to glean information about me from my friends and relatives.

    1. Kara (Lindstrom Wicker) Quitter and Mary Lewis have both told me that Tammy Adams has attempted to get information from them about me.

10. Tammy Adams invited me to participate in group sex with her and her cousin.

11. On one occasion when I attempted to pick up my son, Tammy attempted to assault me and stood behind my car refusing to let me leave the parking lot of her condo.

12. I received, via email, digital images of Tammy Adams nude.

i. While I have never put rockets into orbit, this would lead me to believe Tammy Adams posed for nude photographs.

ii. This would also lead me to believe Tammy Adams has created circumstances whereupon the digital images of her nude were then allowed to be emailed to me.

iii. This occurred after:

1. I had made dozens of phone calls to the Peterborough Police asking them to make her stop stalking me.

2. She had already been stalking me for several years.

3. I had nearly been killed by acquaintances of hers swerving their cars at me.

13. Tammy Adams has threatened that she would take my son and not let me see him grow up.

14. Tammy Adams has repeatedly referred to our son as a ‘Bastard.’

15. Tammy Adams threatened that she was ‘connected’ (her exact choice of words) to the Peterborough Police Department.

16. Tammy Adams bragged that her mother, Marguerite Babb, babysat the children of a detective in the Peterborough Police Department.

17. Tammy Adams has threatened that if I did not marry her she would take all of my property.

18. When Logan and I talk on the phone I can hear Tammy Adams in the back ground giving Logan instructions.

19. Since breaking up with Tammy Adams several people, on dozens of occasions, have stalked me, harassed me, threatened me and attempted to assault me.

20. Around September of 2007 Tammy Adams brother-in-law, Frank Chiradelli (spelling?) swerved his car at me while I was carrying our son Logan.

    1. When I attempted to report this to the Peterborough Police Department (detective Brett Sullivan) they refused to take a statement.

    1. I sued Scott Guinard (Chief of the Peterborough Police Department) in small claims court because he and his staff would do nothing about Tammy Adams stalking me.

    1. Immediately after the case was thrown out of the Jaffrey Peterborough District Court Detective Brett Sullivan was demoted:

1. Detective Brett Sullivan was not demoted to Captain.

2. Detective Brett Sullivan was not demoted to Lieutenant.

3. Detective Brett Sullivan was not demoted to Sergeant.

4. Detective Brett Sullivan was not demoted to Patrol Supervisor.

5. Detective Brett Sullivan was demoted to Corporal.

21. A man, driving a dodge truck, ran into me while I was driving my motorcycle.

i. I recognized this man as a person I’ve seen conversing with Tammy Adams.

ii. I recognized this man as a person whom had helped Tammy Adams move when she and I broke up.

iii. After the accident I sought emergency medical treatment.

22. A woman forced me off the road and nearly struck me with her car as I road my motorcycle. This occurred in the late spring/early summer of 2008.

i. I recognized this woman as being an acquaintance of Brett Sullivan.

ii. In the past Brett Sullivan has worked very hard to help Tammy Adams and her family avoid prosecution.

23. A family acquaintance of Tammy Adams, Charles Roberts, threatened to stab me with a syringe. This occurred in 2007.

Given the above facts there is clearly evidence supporting the need for me to have access to Tammy Adams’ medical and psychological records for the previous 15 years.

Be it known:

  1. All appearances on my behalf will be by Michael Emery, a free and sovereign man, by special appearance only.

  1. These proceedings are Fraudulent because of the following facts, and therefore this court is unable to reach a fair and just decision:

    1. This court has heard Tammy Adams motion to change my visitation with my son.

i. This court never notified me of that Tammy Adams motion would be heard.

ii. Tammy Adams, via her attorney, failed to notify me of the most recent motion to modify visitation. Apparently this motion was filed in early November.

    1. Guardian Ad Litem Karen Griswold has provided this court with Slanderous information about me.
    2. Tammy Adams, via her attorney, has failed to notify me of the initial motion to change the visitation. I believe that motion was filed in August of 2008.

i. I did not receive any notification until February of 2009.

    1. This court heard Tammy Adams’ motion to release my psychological records, but never notified me that there was a hearing.

  1. I reserve the right to spend any amount of time with my son, Logan W. A. Emery, I see fit and in a schedule I see fit.

  1. I reserve the right to support my son by having him spend time with me.

  1. I reserve the right to record all court proceedings with my own personal electronic recording devices.

  1. I reserve the right to record all phone calls with electronic recording devices.

  1. I object to all previous motions filed by Tammy Adams, to include, but not limited to; change of the date of the final hearing, motion for visitation, at my expense, only with a psychologist.

  1. I never received notification of motions to change visitation or to change the final hearing; all subsequent orders are therefore fraudulent.

  1. All previous court orders are fraudulent and are no longer in effect.

  1. Guardian Ad Litem Karen Griswold no longer works for me. I object to any motions, statements or documents she has, or may provide, the court.

  1. I hereby revoke all powers of attorney, from me to any person, corporation, entity, real or fictional, to include, but not limited to; the State of New Hampshire, Hillsborough County, Cheshire County, all clerks, deputies, bailiffs, entities, agents, cohorts, employees of the above mentioned entities and all other cowards hiding in the dark.

Wherefore, the respondent, Michael Emery, instructs this court to;

  1. Include and admit this motion and these facts into the permanent record.

  1. Order Tammy Adams to release all psychological and medical records for the previous ten (10) years.

  1. Consider these facts during any decision making process.

  1. Grant other relief as this court deems just and appropriate.

All Rights Reserved, by: without prejudice Date: _____________

Michael Emery

113 Chesham Rd

Harrisville NH 03450

I certify that a copy of this was mailed to Attorney David Wing: _________________________

Date:_____________

Order

 Motion Granted  Motion Denied

Recommended:

________ _______________________ _______________________

Date Printed name of Marital Master Signature of Marital Master

So Ordered:

________ _______________________ _______________________

Date Printed name of Judge Signature of Judge

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