Roberts et al v. Bohringer et al
Filing
6
MEMORANDUM AND ORDER: As the complaint filed in this case does not comply with Rule 5.2(a) of the Federal Rules of Civil Procedure, the clerk is directed to strike it from the record. The plaintiffs shall provide the clerk's office with a corrected pleading that comports with Rule 5.2(a) (l) regarding only using the last four digits of an individual's taxpayer- identification number. Ordered by Magistrate Judge Viktor V. Pohorelsky, on 1/24/2014. (Barrett, C)
UNITED STATES DISTRICT COURT
EASTERN DISTRICT OF NEW YORK
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MILLICENT ROBERTS, et al.,
Plaintiffs
MEMORANDUM AND ORDER
-v-
CV 13-7346 (JBW)(VVP)
DETECTIVE PETER BOHRINGER, et al.,
Defendants.
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As the complaint filed in this case does not comply with Rule 5.2(a) of the Federal Rules
of Civil Procedure, the clerk is directed to strike it from the record. The plaintiffs shall provide
the clerk's office with a corrected pleading that comports with Rule 5.2(a)(l) regarding only
using the last four digits of an individual's taxpayer-identification number.
SO ORDERED:
f!ilt81'. 1'~
VIKTOR V. POHORELSKY
United States Magistrate Judge
Dated: Brooklyn, New York
January 24, 2014
Case 1:13-cv-07346-JBW-WP Document 1 Filed 12/26/13 Page 1 of 11 PageiD #: 1
UNITED STATES DISTRICT COURT
EASTERN DISTRICT OF NEW YORK
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MILLICENT ROBERTS, individually and as parent and
natural guardian of C.B., an infant under the age of
fourteen years, ANGELA SEWARD and CLARENCE
A. SCOTT JR..
I
COMPLAINT AND
JURY TRIAL DEMAND
Plaintiffs.
-againstDETECTIVE PETER BOHRINGER, Tax Registration
No. 915326, P.O. "JOHN OOES"1-12. P.O. "JANE
DOES~ 1-6 and THE CITY OF NEW YORK,
Defendants.
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Plaintiffs, MILLICENT ROBERTS, individually and as parent and natural guardian
of C.B., an infant under the age of fourteen years, ANGELA SEWARD and CLARENCE
A SCOTI. JR., by their attorney, ALAN D. LEVINE, ESQ., complaining of the
defendants herein, respectfully allege as follows:
JURISDICTION
1.
This is a civil action, seeking compensatory damages, punitive damages
and attorney's fees.
2.
This actton Is brought pursuant to 42 U.S.C. §§1983 and 1988 and the
fourth and fourteenth amendments to the Constitution of the United States.
3.
Jurisdiction is founded upon 28 U.S.C. §§1331,1343 and 1367.
4.
Plaintiffs, invoking the pendent jurisdiction of this Court, also seek
compensatory and punitive damages for false arrest and battery.
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