2013
10.16

Chief James Miller,

I have just been advised that my mother was visited by a patrol car at her home today at 871 Mustang Road.

My mother is an 80 year old woman living alone with health issues. While unintentional, the visit from your officer frightened her. the officer asked about my whereabouts, what car i drove, and how often I driove her car. I am sure you can understand her fright.

Your officer was relaying a message from a Montgomery Township Police Officer after she received repeated calls from him today. I have responded to officer Ruchkin by fax. I include that fax for your reference.

I would like to know what allegations were made that caused Warrington Police to pay a courtesy call to learn my whereabouts and what car I drove. This is a genuine request for information.

The matter in Montgomery Township is a civil matter being litigates in the Montgomery County Court of Common Pleas. I am seeking to assert my lawful and legal ownership of property illegally and fraudulently conveyed to the Millers – a lawyer and real estate agent. Judge Coonahan has been notified of the threat against me made by Montgomery Township Police via a court filing this evening.

Thank You,

Terance Healy

2013
10.16

Cheif Scott Bendig,
Officer John Rushin,

regarding the repeated calls to my mother’s home today, please stop that.

Attached are copies of documents relating to the civil litigation regarding the fraudulent conveyance of my property and residence at 110 Banbury Avenue, North Wales, PA 19454

Copies of:
Montgomery County Court of Common Pleas Docket #2013-29976 (1 page)
Complaint in Ejectment (29 pages)
Emergency Praecipe for immediate Eviction/Order of Possession (1 page)
Emergency Praecipe for immediate Eviction/Order of Possession (Addendum) (1 page)

Please accept these documents as a Criminal Tresspass Complaint against David & Jennifer Miller in this regard. If this format is not acceptable for a foprmal complaint, please forward the proper complaint forms to the address below.

While it was not my intention to file a criminal complaint at this time, the threat to my liberty mandates a response.

Terance Healy

2013
10.16

“At what point then is the approach of danger to be expected? I answer, if it ever reach us, it must spring up amongst us. It cannot come from abroad. If destruction be our lot, we must ourselves be its author and finisher. As a nation of freemen, we must live through all time, or die by suicide.” – Abraham Lincoln

(from “The Perpetuation of Our Political Institutions: Address Before the Young Men’s Lyceum of Springfield, Illinois” January 27, 1838)

lincoln-memorial-flickr

“America will never be destroyed from the outside. If we falter and lose our freedoms, it will be because we destroyed ourselves.” – Abraham Lincoln

 
Lincoln had incredible vision.

 
 

2013
10.16

( PDF )

IN THE MONTGOMERY COUNTY COURT OF COMMON PLEAS
NORRISTOWN, PENNSYLVANIA

Terance Healy :
  : #2013-29976
v. :
  :
David R. Miller :
Jennifer K. Miller :

Emergency Praecipe for Immediate Eviction/Order of Possession (Addendum)

1. After service of the EMERGENCY PRAECIPE file with this Court on October 15, 2013, Plaintiff’s 80-year old mother was contacted by telephone multiple times by the Montgomery Township Police Department.

2. Montgomery Township Police Office Ruchkin has threatened the plaintiff with arrest if he approached his own property at 110 Banbury Avenue North Wales, PA 19454.

3. Plaintiff has taken no aggressive or violent action against the Defendants and as such, the threats to his freedom from Montgomery Township are unwarranted, unnecessary and unlawful.

4. Defendants have misrepresented ownership to Montgomery Township Police and have manipulated them into actions which are clearly an abuse of power under color of law.

5. As the Plaintiff is unaware of any allegation of criminal charges, the Montgomery Townnship Police have no jurisdiction in this civil matter.

6. THREATS TO THE SAFETY AND LIBERTY OF THE PLAINTIFF WARRANT THI COURTS IMMEDIATE ATTENTION.

WHEREAS, Plaintiff respectfully requests this honorable Court issue an EX PARTE ORDER FOR POSSESSION authorizing the Sheriff’s Department to take immediate action to remove, eject and prevent the Defendants from occupying the property and residence.

Respectfully,

Terance Healy



CASE DOCUMENTS
Civil Complaint – Action in Ejectment ( PDF )

Emergency Praecipe for Immediate Eviction / Order of Possession( PDF )

Emergency Praecipe for Immediate Eviction/Order of Possession (Addendum)( PDF )

Defendant’s Preliminary Objections and Defendant’s Memorandum of Law ( PDF )

Plaintiff Responds to Defendant’s Preliminary Objections and Defendant’s Memorandum of Law
( PDF )

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