Monthly Archives: April 2013

Allie Overstreet continues cyberstalking Bill Windsor by creating a new Facebook identity – Allie Gate – and posting negative comments.

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Allie Overstreet continues cyberstalking Bill Windsor by creating a new Facebook identity – Allie Gate – and posting negative comments.

Allie Overstreet has been served with numerous cease and desist notices about her cyberstalking and harassment, but she just continues to do so.

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The High Cost of Fighting Injustice and trying to help Save America: Bill Windsor has lost almost everything

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The High Cost of Fighting Injustice and trying to help Save America: Bill Windsor has lost almost everything.  Allie Overstreet was a significant contributor to Bill’s losses.

The cost of battling injustice and trying to help save America is extremely high.  Bill Windsor has now lost almost everything.

But you know what they say:  Never get in a fight with someone who has nothing to lose.  All the dishonest and corrupt people should know that nothing will stop me in my efforts to get them all indicted, arrested, imprisoned, disgraced, impeached, and bankrupted…

When I started battling corruption, I anticipated that judges would try to hurt me.  I never dreamed their corruption, dishonesty, and vengeance would be so strong.  I knew the corrupt attorneys would just be more corrupt once they realized the judges would let them get away with anything, and they have been brazen.

The corrupt judges and corrupt attorneys stole all my money.  One of the most corrupt judges, federal Judge William S. Duffey, even awarded a $4.5 million contempt sanction against me (while I was on Lawless America Movie Road Trip I) for not paying sanctions (that should have never been awarded) that he knew I could not pay.  Judge William S. Duffey forced my sweet, non-party wife to produce her financial and medical records in a non-existent lawsuit that was created to steal money from me.  Judge William S. Duffey forced her to appear in court where he terrorized her.

According to one report, there may have been a plot to have me killed.  I haven’t been killed, but others have died.  Nancy Schaffer, Bill Bowen, and many others with profiles both high and low.

I’ve received a lot of threats — mainly from people who I feel are mentally ill.  Most of the threats, stalkers, libelers, slanderers, and defamers are friends or associates of dishonest women who I have discovered in this project.  I didn’t anticipate going into this that I would be dealing with such sad, sick people.

I receive all types of sick and/or threatening emails.  gofuckyourself@yahoo.com This e-mail address is being protected from spambots. You need JavaScript enabled to view it — KillBill@yahoo.com This e-mail address is being protected from spambots. You need JavaScript enabled to view it — and other sick email addresses.  Then there’s the content of the emails.  Every nasty word I’ve ever heard and a few new ones.  I’ve been accused of things such as being a pedophile, a pedophile lover, a scam artist, a criminal, a person who has committed all types of crimes.  I’ve been accused of having sex in hot tubs with women who have assisted me as well as sex with animals.  The lies are totally outrageous, but many sad people don’t have the sense to realize they are lies or at least question them.

I’ve never shot anything but cans, bottles, and targets.  I owned a gun for a few years in the 1980s, but that was it until recently.  I bought a gun because I now fear all the crazy people out there, and because I wanted to buy one before the government does something to stop our access to guns in gross violation of our Constitutional rights.  I bought the gun for protection.  I am totally non-violent, but I will not hesitate to use the gun if I need to use it for protection.

I have people like Sean B**shie threatening my family and me.  This sick person, Sean B**shie, who others feel may be working for the government, has posted guns, knives, and mass murderer photos on my websites.  Sean B**shie has made many “veiled threats,” and he has threatened to shoot me when I come to Missoula Montana.  He has sent emails and certified letters to my wife and son claiming he was going to sue them for their participation in Lawless America (participation that he has been told does not exist).

A lot of warped people claim they are suing me.  No one has any basis to sue me, but that doesn’t stop mentally ill people from making wild claims.

One serial liar did file a criminal action against me.  Many of the lies of Allie Overstreet have been exposed on this website.

I have now filed a civil action against Allie Overstreet, Mark Supanich, Brenda Williamson, and 1,000 as-yet-unnamed Jane and John Does.  My damages are certainly mounting!

There are some people who, in my opinion, are truly nuts, like Brannon Bridge, Claudine Dombrowski, Lorraine Tipton, Shannon Miller aka Elizabeth Hope Hernandez, and others with the so-called American Mothers Political Party (“AMPP”).  AMPP actually promoted for all six or seven of their followers to watch the movie “Kill Bill.”  Sickos have produced dozens of videos attacking me.  They don’t have a valid reason to attack me; I believe they just do it because it gives these sick people with no life something to do.

It’s Day 319 for Lawless America…The Movie, and it is Day 15,279 of my marriage.  The count will continue on the movie, but it is stopping on the marriage.  My wife and family are literally SCARED, REALLY REALLY SCARED.  My family gave me an ultimatum:  Stop your efforts with Lawless America, or lose your family.  I told them I would not allow my family to tell me what I can and cannot choose to do.  So, my wife has just confirmed that she is filing for divorce, and my daughter will not even let me see or speak with my granddaughters.

My wife and I have been together for 44 years.  We have never had a serious problem in our marriage.  But now it’s over because she is so totally afraid of these sick people who have threatened me and her.

I never in a million years thought I would ever be divorced.  The idea never really crossed my mind.  But I will soon be another divorced guy.  Several judges have taken away my parental rights, not in the traditional corrupt children and family court sense, but by stealing everything I owned, scaring and terrorizing my wife, and causing my children to fear for their safety.

I am mentally making plans to relocate away from Georgia so my former family will perhaps feel a little safer.

Needless to say, I am sick over this.  There’s no changing it.  So I have to just get on with my mission.  And to the slimeballs out there who will be delighted with this news, I advise them to remember that you should never get in a fight with someone who has nothing to lose.  I no longer have anything to lose.  So, I will go after each and every one of the crooks and sickos with everything I’ve got.  I would hate to lose my family and have little to show for it in the end.

This article originally appeared on www.LawlessAmerica.com.

 

 

Bill Windsor files a civil action against Allie Overstreet and others in Lafayette County Missouri

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Bill Windsor files a civil action against Allie Overstreet and others in Lafayette County Missouri.  The Verified Complaint was notarized, and Bill Windsor swears every statement he makes is true and correct under penalty of perjury.

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           PLAINTIFF’S ORIGINAL VERIFIED COMPLAINT

William M. Windsor (“Windsor or “Plaintiff”) hereby files this VERIFIED COMPLAINT.  Windsor shows the Court as follows:

JURISDICTION AND VENUE

  1. This Court has jurisdiction over the Defendants and over the subject matter of this action.  An actual controversy exists within this Court’s jurisdiction.
    1. Venue in Lafayette County Missouri is proper in this cause because at least one of the Defendants principal place of residence was in Lafayette County Missouri during the time of the accrual of the causes of action.
    2. Venue in Lafayette County Missouri is proper in this cause because when Windsor was damaged in Georgia, damage was done by at least one of the Defendants who had her principal place of residence in Lafayette County Missouri.
    3. This Court has personal jurisdiction over the Defendants because at least one of the Defendants has been engaged in business in the State of Missouri and has willfully availed herself of Missouri jurisdiction.
    4. Defendants have committed torts within the State of Missouri.

PARTIES

  1. Plaintiff William M. Windsor (“Windsor” or “Plaintiff”) is an individual residing at 3924 Lower Roswell Road, Marietta, Georgia 30068.  Windsor’s telephone number is 770-578-1094, email: nobodies@att.net.
  2. Defendant Allie Loraine Yager Overstreet (“Overstreet”) is an individual who has resided at 1208 N Main, Higginsville, Missouri 64037, telephone 660-641-9980 or 816-650-2939, email: loverstreet09@yahoo.com.
  3. Defendant Mark Supanich (“Supanich”) is the boyfriend of Overstreet, an individual who maintains a residence at 1826 Lucky Strike Road, Helena, Montana 59602, telephone 253-250-1632 or 406-458-0110, email: markamw@yahoo.com.
  4. Defendant Brenda Williamson (“Williamson”) is an individual who maintains a residence at 210 Chestnut – Apartment A, Belton, Missouri 64012, telephone 816-379-8253, email: brendaawilliamson@gmail.com.
  5. Defendants John Doe 1 to 1000 (“John Does”), are individuals whose names and locations are presently unknown to Plaintiff.  All of the Defendants may be jointly referred to as “Defendants” or “Stalkers.”

STATEMENT OF FACTS

  1. The Plaintiff has been producing and directing a documentary film, Lawless America, and has been compiling testimony about government and judicial corruption that has been presented to Congress and will be presented to every state legislator in America.
  2. The Plaintiff has become the victim of stalking, harassment, defamation, libel, slander, and threats (including some death threats).  The Plaintiff has been followed online and has been contacted online for the purpose of harassing and intimidating him.  Stalkers have attempted to terrify, threaten, harass, annoy, and offend the Plaintiff with lewd and profane language, claims of lewd and lascivious acts, threats to inflict physical harm, and more.
  3. The stalking includes defamation and the making of false accusations and false statements.  These include that the Plaintiff is a pedophile, a pedophile lover, anti-gay, bigoted, a tax evader, a criminal operating a scam, a terrorist, and much more.  Some people believe this stuff, so this attracts other haters, any one of whom could be the crazy person to injure the Plaintiff or his family.
  4. The Plaintiff is not a pedophile.
  5. The Plaintiff is not sexually attracted to children.
  6. The Plaintiff is not a pedophile lover.
  7. The Plaintiff abhors pedophiles.
  8. The Plaintiff has never knowingly hired a pedophile to do work.
  9. The Plaintiff does not believe that any pedophiles have done work for Lawless America.
  10. The Plaintiff is not anti-gay.
  11. The Plaintiff is not a bigot.
  12. The Plaintiff does not treat other people with hatred, contempt, or intolerance on the basis of a person’s race, gender, sexual orientation, gender identity, national origin, religion, language, or socioeconomic status.
  13. The Plaintiff is not a tax evader.
  14. The Plaintiff has filed tax returns for over 40 years, has been audited many times, and has never been accused of evading taxes.
  15. The Plaintiff is not a criminal.  The Plaintiff has neither been charged with nor convicted of a crime.
  16. The Plaintiff has not received a traffic ticket or parking ticket in over 10 years.
  17. The Plaintiff has never been in a jail or prison except as a visitor.
  18. The Plaintiff is not operating a scam.
  19. The Plaintiff has never operated a scam.
  20. The Plaintiff has never operated a confidence game or other fraudulent scheme.
  21. The Plaintiff has never swindled anyone.
  22. The Plaintiff has never tricked or cheated anyone out of their possessions.
  23. The Plaintiff is not a terrorist.
  24. The Plaintiff has never made the unlawful use or threatened use of force or violence against people or property with the intention of intimidating or coercing societies or governments.
  25. The Plaintiff never published that he had bought a gun to use on a group of people.
  26. The Plaintiff never published that he had bought a gun to use on Overstreet.
  27. The Plaintiff never threatened Overstreet with violence.
  28. The Plaintiff is anti-violence.
  29. The Plaintiff did not have women sitting on his lap during the Lawless America Movie road trip from June 14, 2012 to February 8, 2013.
  30. The Plaintiff was never nude with women during the Lawless America Movie road trip from June 14, 2012 to February 8, 2013.
  31. The Plaintiff did not have sexual relations with anyone while away from his spouse during the Lawless America Movie road trip from June 14, 2012 to February 8, 2013.
  32. The Plaintiff was never in a hot tub during the Lawless America Movie road trip from June 14, 2012 to February 8, 2013.
  33. The Plaintiff has never had sexual relations with any animals.
  34. The Plaintiff never solicited or accepted any investments in Lawless America.
  35. Father’s rights groups have not financed Lawless America.
  36. The Plaintiff never asked anyone to pay anything to be filmed for Lawless America.
  37. The Plaintiff has never used illegal drugs of any type.
  38. The Plaintiff has never possessed illegal drugs of any type.
  39. The Plaintiff does not consume alcoholic beverages.
  40. The stalking of the Plaintiff includes monitoring, as Overstreet has claimed that the Plaintiff’s Internet activity is being tracked.  Some stalkers participate in the Plaintiff’s online radio talk shows to monitor and/or to disrupt the calls and the online chat.  The monitoring and stalking includes repeated online posts of libelous, defamatory, threatening, harassing statements.
  41. The stalking of the Plaintiff includes threats, several of which Plaintiff considers to be death threats.  The Plaintiff fears for his safety and the safety of his family.
  42. The Plaintiff fears identity theft as Overstreet indicates Stalkers have the Plaintiff’s social security number.  Overstreet has had access to personal charge accounts as well as personal logins of the Plaintiff.  Stalkers have publicized the Plaintiff’s home address, date of birth, and other personal information.
  43. Any reasonable person in possession of this information would regard it as sufficient to cause another reasonable person distress and fear.
  44. The libel and slander is extreme.  Stalkers invent one false claim after another.  People who the Plaintiff doesn’t know make statements in writing that have no truth whatsoever and can be easily proven to be false.  It’s like they feel they can say anything and get away with it.
  45. The Stalkers have repeatedly violated the Plaintiff’s privacy rights and copyright by using photos and videos of him and his family that they have no legal right to use.  Photographs of the Plaintiff have been doctored.  Absolutely sickening videos have been produced about the Plaintiff.  The worst is one that has one scene after another of feces – big piles of sh*t in various settings – and it’s all attacking Plaintiff.
  46. Internet technology has enabled online groups of anonymous people like this to self-organize to target individuals with online defamation, threats of violence, and technology-based attacks.  Upon information and belief, Stalkers are manipulating search engines to make damaging material about the Plaintiff more prominent.
  47. Stalkers have created blogs about the Plaintiff containing defamatory content, including some that utilize the Plaintiff’s name and names associated with the Plaintiff.
  48. Overstreet was an unpaid volunteer working with Windsor for Lawless America…The Movie for several months.  Prior to that, she was the Lawless America Missouri State Coordinator.
  49. Meet Me in DC was an event sponsored by the Plaintiff held February 5-7, 2013 in Washington DC.  Overstreet helped make some of the arrangements.
  50. After Meet Me in DC, Overstreet seemed to become obsessed with http://Joeyisalittlekid.blogspot.com, a site directed at the Plaintiff that the Plaintiff considers to be a hate site.  Overstreet kept sending Facebook messages and emails about it to the Plaintiff.  While Overstreet was regularly sending the Plaintiff postings by haters, she wanted the Plaintiff to stop mentioning them.
  51. On February 15, 2013, the Plaintiff sent a Facebook message to Overstreet:  “Allie, I have made it very clear from the very beginning that I will not tolerate liars and slanderers.  NOTHING will change that. Your continued messages about this in the last week are aggravating to say the least.  If you don’t choose to support me, then I will accept that and wish you the best.  If you want to continue to help, find “managers” who will actually do something.”
  52. Overstreet responded, “huh?”
  53. The Plaintiff replied: “If you are going to continue to be critical of my approach to liars and slanderers, then we are not a good fit.”
  54. Overstreet’s reply ended with this: “You are defensive these days.  You mistake my messages.”  The Plaintiff responded: “Okay, please just don’t direct me on what to say or not say about liars.  Fair enough?”  Overstreet sent several responses defending herself, including this: “If you decide I’m worth keeping, I would like a little more clarification of your expectations from me. It is difficult out here guessing where the lines are sometimes. I do love ya, and love what you’re trying to do.”
  55. The next two days brought more of the same from Overstreet.  The Plaintiff received a number of messages about the Joeyisalittlekid site and people to block.
  56. At one point, Overstreet said most of the new LIKES on Lawless America’s Facebook page were fake people.
  57. The Plaintiff took a few hours that he couldn’t afford to spend, and he checked every new LIKE that he could access.  The Plaintiff clicked on their page link and reviewed the page.  166 of 178 looked fine – many were people the Plaintiff knew.  Only 12 were suspect, and the Plaintiff believes some of those were probably Stalkers trying to gain access to the site.
  58. On January 18, 2013, Overstreet continued to message the Plaintiff about the Joeyisalittlekid site.
  59. Upon information and belief, Overstreet spent hours reading the Joeyisalittlekid site.  The Plaintiff had never read the site.  Then Overstreet messaged again claiming that the Plaintiff obsessed over the Joeyisalittlekid site and everything on it.
  60. The Plaintiff replied: “I don’t know where you got the idea that I obsess over them. I would like to know who is who so I can sue them by name and file a restraining order.  I’m pretty sure I know, and they are now likely putting out misinformation (like Lori Callies emailing me to tell me the owner of the Joey site is Joey Dauben — laughable).  The only way I know anything on the blog is from you and occasionally Deb or one or two others.  I’ve never seen the blog, and I have never even done anything but skim stuff messaged or emailed to me.”
  61. Overstreet then claimed half of the Plaintiff’s posts were about the haters.
  62. The Plaintiff replied: “Allie, come on now.  The Lawless America page has 29 posts in February, and only three of them are about haters.”
  63. Allie responded: “I don’t speak in exact numbers.”
  64. Early Tuesday morning, February 19, 2013, the Plaintiff wrote:  “Allie, I will not change a thing that I am doing about the liars and haters.  If you and others don’t like it, then politely bow out.  I won’t hate you or post your photo.  But ever since DC, you have not been at all supportive, in my opinion.”
  65. Overstreet replied: “Your plan will never work because you refuse to listen to those who want you to succeed.  You view them as enemies if they simply want to help you.  You are brilliant Bill.  But you are wrong about this.”
  66. The Plaintiff responded: “Well, Allie.  Then the plan didn’t work.  The bad guys accomplished exactly what they set out to do.  Thank you for all of your help.  If I can help you, please email me, but please don’t message me or email me with more of your negativity.”
  67. Overstreet then called it quits.  She messaged: “Sigh.  Don’t forget to take me off the state pages.  You should probably make an announcement because 20-25 folks contact me daily.  And if you use my film please use the edited version.  I hope you get what you want accomplished.  We are all wanting the same outcome.”
  68. On or about February 20, 2013, Overstreet began communicating to the Plaintiff’s supporters that she had been “banned from Lawless America.”
  69. Banning refers to a Facebook procedure that denies someone any access to a Facebook page.
  70. This claim that she had been banned was false.  Overstreet had no information to indicate that her statements were true.
  71. Brian Long received a Facebook message from the account of Overstreet indicating that she had been banned by the Plaintiff.
  72. Overstreet denied that she had sent such a message.
  73. Overstreet has been active in defamation, harassment, and libel directed at the Plaintiff.
  74. At approximately half past midnight February 21, 2013, someone sent Plaintiff a message in the name of Williamson, a mother who was filmed for Lawless America…The Movie, indicating that Williamson’s son (also filmed) was dead.  [A true and correct copy of this message received by the Plaintiff is attached as Exhibit 517.]
  75. The message was false and malicious.
  76. Upon information and belief, Overstreet and/or Supanich either sent the message or conspired with someone who did.
  77. The message said Noah Williamson was dead, but he was not.
  78. The message said Noah Williamson took his own life, but he did not.
  79. The message indicated it was sent by Brenda Williamson, but she told the Plaintiff that she did not send it.
  80. Overstreet posted false information about this on Facebook that she knew was false.
  81. At 12:30 am on February 22, 2013, the Plaintiff tried to respond to the message allegedly sent by Williamson, but Facebook showed that the account was closed or that any response was blocked.
  82. The Plaintiff recognized Williamson’s Facebook name, because it is an unusual name.
  83. The Plaintiff spent several hours preparing a tribute to Williamson’s son, posting an article, videos, Facebook posts, etc.
  84. The Plaintiff believes these were posted at or about 2:00 am on February 22, 2013.  There was an outpouring of love and prayers.
  85. At 2:06 am on February 22, 2013, the Plaintiff received a message from Supanich that was a copy of a posting made online under his name.  [A true and correct copy of this message received by the Plaintiff is attached as Exhibit 518.]
  86. The posting by Supanich was false.
  87. Supanich did not know for a fact that Noah Williamson was alive and well.
  88. Supanich did not know whether Noah Williamson had just had a bologna sandwich.
  89. Supanich did not know whether anything that the Plaintiff posted was untrue.
  90. The posting by Supanich was defamatory to the Plaintiff.
  91. At 2:16 am on February 22, 2013, the Plaintiff received another message from the Facebook account showing to be Supanich. [A true and correct copy of this message received by Plaintiff is attached as Exhibit 519.]
  92. The posting by Supanich was false.
  93. Williamson advised the Plaintiff that she knew nothing about any of this.
  94. Williamson told the Plaintiff at she knew nothing about any of this by telephone and stated so in an email to him.
  95. Williamson told the Plaintiff that she did not even know Supanich.
  96. At 2:22 am on February 22, 2013, the Plaintiff received another message from the Facebook account of Supanich.  [A true and correct copy of this message received by the Plaintiff is attached as Exhibit 520.]
  97. The message from Supanich was false.
  98. Williamson was not devastated.
  99. Williamson told the Plaintiff she was unaware of any of this.
  100. Williamson told the Plaintiff that she never received a message from Mark Supanich.
  101. The Plaintiff removed everything about the death report of Williamson’s son from www.LawlessAmerica.com and www.facebook.com/lawlessamerica after the first message from Supanich.
  102. Upon information and belief, there are only a half dozen people in the world who could have written what is in the Facebook message claiming death.
  103. The Plaintiff did not send this death notice message.
  104. The Plaintiff did not have anyone send the death notice message to him.
  105. Upon information and belief, Overstreet sent the death notice message to the Plaintiff or conspired with someone to send it.
  106. At 2:16 am on February 22, 2013, the Plaintiff emailed Williamson.  [A true and correct copy of this message sent by the Plaintiff is attached as Exhibit 510.]
  107. Many lies and defamatory innuendos about the Plaintiff have been posted online in the name of Overstreet.
  108. The Facebook account of Supanich has spread false information that, upon information and belief, Overstreet has provided to him, and Supanich has refused to acknowledge the lies.
  109. At approximately 3:00 am on February 23, 2013, a posting appeared on the Lawless America Facebook page from the account of Overstreet.  [A true and correct copy of this message reviewed by the Plaintiff is attached as Exhibit 521.]
  110. This posting in the name of Overstreet is filled with false information and defamation of the Plaintiff.
  111. Overstreet knew the posting was false.
  112. According to Williamson, Overstreet did not call Williamson immediately.
  113. According to Williamson, Overstreet did not speak to Williamson at all.
  114. According to Williamson, Overstreet had not spoken to Williamson and her son three hours prior.
  115. According to Williamson, Overstreet did not know if Noah Williamson was alive and well.
  116. According to Williamson, Noah Williamson was not well.
  117. According to Williamson, Noah Williamson was in the hospital and did not eat bologna.
  118. According to Williamson, she was not in shock that the Plaintiff posted the death notice.  Williamson told the Plaintiff the following day that she knew nothing about it.
  119. According to Williamson, Overstreet did not know if Noah Williamson was alive or dead.
  120. According to Williamson, she was not crying her eyes out.
  121. According to Williamson, she was not cursing up a storm.
  122. At 6:37 am on February 2, 2013, the Plaintiff received an email reply from Williamson.  [A true and correct copy of this email message received by the Plaintiff is attached as Exhibit 522.]
  123. This email from Williamson establishes that the postings by Overstreet and Supanich were false.
  124. At approximately 10:30 on February 22, 2013, the Plaintiff called Williamson at the phone number on her Lawless America Movie Release Form.  [A true and correct copy of this Movie Release Form received by the Plaintiff is attached as Exhibit 523.]
  125. The Plaintiff and Williamson spoke for about a half hour on February 22, 2013, and she reiterated that she knew nothing about the death notice until she read the Plaintiff’s email that morning.  Williamson said she hadn’t spoken with Overstreet.
  126. Williamson followed up by sending the Plaintiff over two dozen emails showing stalking/harassment by Shannon E. Miller aka Elizabeth Hope Hernandez of the American Mothers Political Party, a woman who started a hate campaign against Plaintiff.  Williamson wondered whether this woman might be involved.
  127. Sharon Kramer posted an analysis on Facebook indicating that Overstreet is the one that sent the bogus Facebook death notice message to the Plaintiff.  [A true and correct copy of this message received by the Plaintiff is attached as Exhibit 524.]
  128. It crossed the Plaintiff’s mind that there was one other possible explanation: Someone could have managed to take control of Overstreet’s and Supanich’s Facebook accounts on February 21 and 22.  The Plaintiff gave Overstreet and Supanich the opportunity to reply to an email to indicate if their Facebook pages and email accounts had been taken over by someone who was posting such lies.  [A true and correct copy of this message sent by the Plaintiff is attached as Exhibit 506.]
  129. Overstreet and Supanich responded but did not claim that anyone had hacked their accounts and was posting using their identities.  They did not offer a defense for the lies and false information.
  130. The Plaintiff wanted to give Overstreet one last chance to claim she didn’t make these posts.  The Plaintiff sent her an email.  [A true and correct copy of this message sent by the Plaintiff is attached as Exhibit 507.]
  131. Overstreet responded with a message that was false.  [A true and correct copy of this message received by the Plaintiff is attached as Exhibit 509.]
  132. Emails from Williamson establish that Overstreet lied about this.  [A true and correct copy of these messages received by the Plaintiff are attached as Exhibits 533, 534, 535, 537, 539, 544.]
  133. Overstreet continued to post false messages about the Plaintiff on Facebook.
  134. Overstreet lied numerous times in Facebook postings.
  135. At approximately 5:00 pm on Saturday, September 23, 2013, Overstreet posted this on the Lawless America Facebook page:  “That’s it? This is your big public ousting? A simple trace on the computer that sent that suicide message, would clear things up. Although I doubt that gets posted. Unblocking me so I can watch the train wreck, yet blocking me from commenting to defend myself is a bit juvenile I think.  Tell them, Bill, of the donations receipts. Tell them of the movie and Sundance fiasco. Tell them of the thousands of emails you copied me on. Tell them of the one where you are calling them stupid. Tell them of Homeland Security list Bill, and the filming at the capitol. Tell them how Stacey did send your hard drives back and how you gave permission to use the banner and camera. Tell Dottie what you really think of her. Tell them about Montana and the cops chasing you out of the state. Tell them how many social security numbers you have. Tell them about your database Bill. Tell them about the emails you DONT publish. Tell them about the tv show Bill. Tell them of your bad guy list and why they are on it . Tell them how many times you were in your basement when you you said you were on the road. Tell them about the death threats, or rather, the lack there of. Tell them about the trademark and copywrites Bill. Tell them how you sent me every email you ever sent any of them. Tell them about the meetings with movie agents. Go ahead, tell them. Tell them about your precious spreadsheets with all their personal info Bill. And while you are at it, tell them how to track IP’s and proxy’s, and how you never should have trusted a woman with brains enough to keep everything you ever said. …You have made a grave mistake jerking innocent people around for your own midlife crisis. Haters aren’t causing you to fail, YOU are causing you to fail. Lying about stupid shit trying to ruin peoples name, just because they dared to not bow correctly to you. Go ahead, trace the computer. I dare you. Tell them where all these criminal charges you have filed are. Tell them that you knew two weeks before DC we couldnt film in the capitol and that no legislators were coming. Tell them about the two under cover FBI agents in the Senate theater Bill. Tell them how you changed from a regular room to the biggest suite the Crowne had. Tell them how you told me there wont be any movement and you are going to back out. Tell them the timing in which this suicide message appeared. Neh…..you won’t do that, now will ya. Tell them how many letters you have written to congress Bill. Tell them who actually wrote them . Tell them who does all your work for you. Tell them why your son won’t associate his company with Lawless. Tell them how you didn’t renember Noah until I told you who he was. Tell them who got Stop the Silence to endorse you. Who got Washington Families United to endorse you. Who got you conference calls with media. Tell them how you forgoymt to copywrite Lawless and asked me what to do. Tell them how you have tens of thousands of unanswered emails. Tell them who did what Bill. I do dare you to sue me and file charges on me. I cannot wait. I will expose the real corruption within Lawless America gladly, and not on faacebook to a bunch of people who believe in you. I hope you do go to the cops, but I know you won’t because they already know you well. You are the sick one, for not giving a shit about these peoples stories unless it is good PR for you. You are good at talking sweet but suck at covering your tracks. Bring it on Mr. Windsor, we will see where that suicide message came from and we will blow you wide open for all your lies and using these folks vulnerabilities to your advantage. I am not your average lemming and lying about me to publicly and maliciously discredit my name was a big mistake.” [A true and correct copy of this message is attached as Exhibit 531.]
  136. This posting is filled with lies and defamatory innuendo designed to damage the Plaintiff.
  137. The Plaintiff did not unblock Overstreet yet block her from commenting.
  138. The Plaintiff has never done anything improper with donations receipts.
  139. The Plaintiff is not involved in a movie fiasco.
  140. The Plaintiff is not involved in a Sundance fiasco.
  141. The Plaintiff did not copy Overstreet on thousands of emails.
  142. The Plaintiff has not called people stupid for sending emails.
  143. The Plaintiff prepared a Homeland Security list at the request of law enforcement and Overstreet.
  144. The Plaintiff never did anything improper regarding filming at the Capitol.
  145. Stacy Slaton did send hard drives back to the Plaintiff long after return had been requested.  Hard drives were sent without the requirement of signature and arrived when both the Plaintiff and his wife were out of town and unavailable for receipt.
  146. The Plaintiff never gave permission to use the banner and camera.
  147. The Plaintiff thinks very highly of Dottie Lafortune.
  148. The police were called in Helena Montana when the Plaintiff and two others filmed outside the fence of an animal shelter.  The Plaintiff does not believe the cops chased him out of the state.
  149. The Plaintiff has only one social security number.  The Plaintiff has never had any social security number but the one that he was assigned in Lubbock, Texas in approximately 1964.
  150. The Plaintiff was not in his basement when he said he was on the road.
  151. The Plaintiff has received death threats and threats that he considers to be death threats.
  152. Lawless America has both trademark and copyright rights.
  153. The Plaintiff did not send every email he ever sent to Overstreet.
  154. The Plaintiff has had several meetings with movie agents.
  155. The Plaintiff has not jerked innocent people around for his own midlife crisis.
  156. The Plaintiff has not lied about stupid shit trying to ruin peoples’ names.
  157. The Plaintiff has never knowingly lied about anything in regard to Lawless America.
  158. The Plaintiff has filed criminal charges with several law enforcement authorities.
  159. The Plaintiff did not know two weeks before Meet Me in DC that filming could not be done in the capitol.
  160.  The Plaintiff did not know two weeks before Meet me in DC that no legislators were coming.
  161. The Plaintiff did not change from a regular room to the biggest suite that the Crowne Plaza National Airport Hotel had.
  162. Plaintiff has written approximately six letters to Congress.  The Plaintiff wrote the letters, but one of the letters was provided by Sharon Kramer.
  163. The Plaintiff does all of his work personally with some help from volunteers.
  164. The Plaintiff remembers Noah Williamson extremely well, and Overstreet never had to tell the Plaintiff who he was.
  165. The Plaintiff does not believe that Stop the Silence endorses him.
  166. The Plaintiff does not believe Overstreet got Washington Families United to endorse him.
  167. No one ever arranged conference calls for the Plaintiff with media.
  168. The Plaintiff did not forget to copyright Lawless America.
  169. The Plaintiff did not ask Overstreet what to do regarding copyrights.
  170. There is no corruption within Lawless America.
  171. The cops do not know the Plaintiff well.
  172. The Plaintiff is not sick.
  173. The Plaintiff has never “not given a shit” about peoples’ stories unless it was good PR for him.
  174. The Plaintiff has no reason to cover his tracks.
  175. The Plaintiff has not used people’s vulnerabilities to his advantage.
  176. The Plaintiff has never lied about Overstreet.
  177. Overstreet has posted a harassing, libelous, slanderous Facebook post in which she says “Windsor posts things that he know are false…and that he has lost his mind.”
  178. This is absolutely false.
  179. The Plaintiff has never posted anything that he felt was false.
  180. The Plaintiff hasn’t lost his mind.
  181. When you compare several of Overstreet’s Posts, it seems to show that her strategy with this death notice scam is to claim that the Plaintiff posted knowingly false information.
  182. Overstreet has posted a harassing, libelous, slanderous Facebook post in which she says Windsor is a liar and “make[s] shit up.
  183. The Plaintiff has not lied about issues involving Lawless America.
  184. The Plaintiff has not made “shit” up.
  185. Overstreet has posted a harassing, libelous, slanderous Facebook post in which she says the Plaintiff duped people.
  186. The Plaintiff has never duped anyone.
  187. Overstreet has posted a harassing, damaging Facebook posting in which she encouraged people to leave Lawless America.
  188. People have left Lawless America because of Overstreet.
  189. On or about midnight on March 11, 2013, Stalkers stole the Plaintiff’s father’s identity, and they set up a Facebook page pretending to be Plaintiff’s deceased father.  The page had photos of the Plaintiff’s father on his death bed as well as a photo of his coffin at the funeral home.  The person or persons pretending to be Walter Windsor posted all types of horrible stuff, including the threat that he, she, or it will post photos of the Plaintiff’s mother (who died of breast cancer 35 years ago) having sex with his deceased father.  [A true and correct copy of the page is attached as Exhibit 514.]
  190. On or about April 9, 2013, Stalkers stole the Plaintiff’s mother’s identity, and they set up a Facebook page pretending to be Plaintiff’s deceased mother.  The page had a photo that was presented as if it was Plaintiff’s mother’s skeleton.  The person or persons pretending to be Mary Windsor posted various messages on the Plaintiff’s Facebook page.  [A true and correct copy of the page is attached as Exhibit 549.]  [A true and correct copy of various postings are attached as Exhibit 550.]
  191. On or about April 18, 2013, Stalkers stole the Plaintiff’s identity, and they set up a Facebook page pretending to be the Plaintiff – Bill Windsor.  The page had a photo of the Plaintiff’s face on someone else’s fat body.  The person or persons pretending to be Bill Windsor posted various messages on the Plaintiff’s Facebook page as if they were from the Plaintiff.  [A true and correct copy of the page is attached as Exhibit 551.]  [A true and correct copy of various postings by the person who stole Windsor’s identity are attached as Exhibit 552.]
  192. On March 14, 2013, Overstreet obtained an ex parte temporary protective order against the Plaintiff.  She made false statements and committed perjury.  [A true and correct copy of the filing is attached as Exhibit 553.]
  193. On April 8, 2013, Overstreet filed an affidavit by Williamson in a protective order action. [A true and correct copy of the affidavit is attached as Exhibit 554.]
  194. On April 8, 2013, Overstreet filed statements by Supanich in a protective order action. [A true and correct copy of the statements are attached as Exhibit 555.]
  195. On April 8, 2013, Judge John Frerking dismissed Overstreet’s protective order action when she was unable to produce evidence of her claim. [A true and correct copy of the statements are attached as Exhibit 556.]

COUNT I – DEFAMATION

  1. Statements made by Defendants impute the commission of crimes or acts that constitute an indictable offense.
  2. Statements made by Defendants impute fraud, misconduct, or incompetence in Windsor’s business or occupation.
  3. Statements made by Defendants tend to harm the reputation of Plaintiff and to lower him in the estimation of the community or to defer third persons from associating or dealing with him.
  4. Defendants have published statements about the Plaintiff.
  5. Statements that Defendants have published were defamatory.
  6. The Plaintiff was identified in the published statements.
  7. Published statements were false.
  8. Defendants published statements with the requisite degree of fault.
  9. The Plaintiff suffered damage as a result of statements by Defendants.

COUNT II – INFLICTION OF EMOTIONAL DISTRESS

  1. Defendants intentionally or negligently inflicted emotional distress on the Plaintiff.
  2. Defendants acted intentionally or recklessly.
  3. Conduct of Defendants was extreme and outrageous.
  4. The conduct of Defendants caused severe emotional distress to the Plaintiff.

COUNT III – TORTIOUS INTERERENCE WITH CONTRACT

OR BUSINESS RELATIONS

  1. The Plaintiff was involved in a valid business relationship.
  2. Defendants were aware of the relationship.
  3. Defendants intentionally interfered with the relationship.
  4. Defendants acted without justification.
  5. The Plaintiff suffered damages as a direct result of conduct of Defendants.

COUNT IV – INVASION OF PRIVACY

  1. Defendants have given publicity to matters concerning the Plaintiff.
  2. Defendants have invaded the Plaintiff’s privacy.

COUNT V – CONSPIRACY TO COMMIT DEFAMATION

  1. Defendants conspired to defame the Plaintiff.
  2. Defendants formed and operated the conspiracy.
  3. Damage resulted to the Plaintiff from acts done in furtherance of the common design.
  4. There was an agreement between two or more persons with the intent to commit an unlawful act.
  5. Unlawful acts were committed.

JURY TRIAL

Plaintiff demands a jury trial.

PRAYER FOR RELIEF

WHEREFORE, Plaintiff requests that the Defendants be cited to appear and answer, and that on final trial, Plaintiff has the following:

  1. Judgment against Defendants for economic, pecuniary, lost profits, consequential, and incidental damages in an amount greater than $25,000, which is within the jurisdictional limits of the Court;
  2. By reason of Defendants’ knowing and intentional conduct, mental anguish damages in an amount within the jurisdictional limits of the Court;
  3. Prejudgment interest as provided by law;
  4. Exemplary and punitive damages appropriate to deter any future willful conduct;
  5. Attorney’s fees;
  6. Costs of suit;
  7. Post-judgment interest as provided by law;
  8. An Order that Defendants remove all false information regarding Plaintiff from the Internet;
  9. An Order that Defendants retract all false statements made by Defendants regarding Plaintiff;
  10. An Order that Defendants cease all false statements regarding Plaintiff; and
  11. Such other and further relief to which Plaintiff may be justly entitled.

Submitted this 25th day of April, 2013,

_________________________

William M. Windsor

3924 Lower Roswell Road

Marietta, GA 30068

Email: nobodies@att.net

Phone: 770-578-1094

Fax: 770-234-4106

VERIFICATION OF WILLIAM M. WINDSOR

   Personally appeared before me, the undersigned Notary Public duly authorized to administer oaths, William M. Windsor, who after being duly sworn deposes and states that he is authorized to make this verification on behalf of himself and that the facts alleged in the foregoing VERIFIED COMPLAINT are true and correct based upon his personal knowledge, except as to the matters herein stated to be alleged on information and belief, and that as to those matters he believes them to be true.

I declare under penalty of perjury that the foregoing is true and correct based upon my personal knowledge.

This 25th day of April, 2013.

___________________________

William M. Windsor

Sworn and subscribed before me 25th day of April, 2013.

____________________________

Notary Public

13LF-CV00461-Plaintiffs-Original-Verified-Complaint-2013-04-25

Overstreet-506-Email-WMW-to-Overstreet-Supanich-2013-02-22-is-someone-pretending

Overstreet-507-Email-WMW-to-Overstreet-Supanich-2013-02-23-have-until-noon

Overstreet-509-Email-Overstreet-she’s-scared-of-you

Overstreet-510-Email-WMW-to-Williamson-2013-02-22-sorry

Overstreet-514-LA-article-2013-03-23-windsors-father

Exhibit 517:

Overstreet-517-BRENDA-WILLIAMSON-death-notice-2013-02-22-2-37-38-AM-cropped-640w

Exhibits 518 to 522:

 

 

 

 

 

Overstreet-518-MARK-SUPANICH-FACEBOOK-death-notice-2013-02-23-206-am-cropped-640w

 

 

 

 

 

 

 

 

 

 

 

 

 

Overstreet-519-MARK-SUPANICH-FACEBOOK-death-notice-2013-02-22-216-am-cropped-640w

Overstreet-520-MARK-SUPANICH-FACEBOOK2013-02-22-222-am-cropped-640w

 

 

 

Overstreet-521-ALLIE-OVERSTREET-FACEBOOK-PISSY-COMMENTS-2013-02-22-10-34-34 AM-cropped-640w

 

 

 

 

Overstreet-522-BRENDA-WILLIAMSON-email-2013-02-22-637-AM-FIRST-NEWS-cropped

Overstreet-523-LA-Release-Form-Overstreet-2012-10-31

Exhibit 524:

Overstreet-524-SHARON-KRAMER-FACEBOOK-2003-02-23-SUMMARY-CROPPED-960W

Overstreet-525-WILLIAMSON-email-2013-02-22-644-am-shannon-e-miller-emails

Exhibit 531:

Overstreet-531-ALLIE-OVERSTREET-FACEBOOK-BIG-PUBLIC-OUSTING-2013-02-23-5-18-17-PM-CROPPED-960W

Overstreet-533-WILLIAMSON-email-2013-02-22-1214-pm-madness

Overstreet-534-WILLIAMSON-email-2013-02-22-719-pm-disables-Facebook

Overstreet-535-WILLIAMSON-email-2013-02-22-954-pm-off-Facebook

Overstreet-537-WILLIAMSON-email-2013-02-23-1217-am-dont-understand-people

Overstreet-539-WILLIAMSON-email-2013-02-23-136-am-keep-from-DFS

Overstreet-544-WILLIAMSON-email-2013-02-23-623-am-have-spoken-to-her

Overstreet-550-LA-Facebook-2013-04-09-815-pm

Overstreet-551-LA-Facebook-2013-04-18-109-am

Overstreet-552-LA-Facebook-2013-04-18-103-am

Overstreet-553-OVERSTREET-Application-for-Order-of-Protection-2013-03-14

Overstreet-554-WILLIAMSON-Affidavit-Order-of-Protection-2013-04-05

Overstreet-555-SUPANICH-EMAIL-2013-02-23-440-am

Overstreet-556-OVERSTREET-ORDER-denying-Order-of-Protection-2013-04-08

Allie Overstreet continues cyberstalking Bill Windsor by posting on Facebook that he is dishonest

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Allie Overstreet continues cyberstalking Bill Windsor by posting on Facebook that he is dishonest.

I am not dishonest.  I believe everything that I have said about Allie Overstreet is true.  I spoke the absolute truth in the courtroom and on reports and videos thereafter.

Allie Overstreet aka Lori Overstreet is a serial liar.

ALLIE-OVERSTREET-LA-MISSOURI-2014-04-11-DISHONEST

Bill Windsor reports by video from Missouri on the crimes committed by Allie Overstreet

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Bill Windsor reports by video from Missouri on the crimes committed by Allie Overstreet.

Bill Windsor video report from Lexington Missouri after court appearance against Allie Overstreet.

Bill Windsor was accused of being a would-be serial killer and/or mass murderer by pathological liar Allie Overstreet aka Lori Overstreet and her latest boyfriend, Mark Supanich.  These were outregaous lies, and Allie Overstreet committed a variety of crimes in doing this.

Here’s the video.

After being given every opportunity to come up with one iota of evidence that supported the false sworn claims, Judge John Frerking dismissed the action.

Bill Windsor never even had to present a defense.

As the producer and director of a movie exposing liars and corruption, Bill Windsor has become the target of a lot of liars, corrupt people, and outright crazy people.

Read the full article about Allie Overstreet’s bogus criminal charges on LawlessAmerica.com.

Case involving charges against Bill Windsor of Lawless America was dismissed by the judge – Nothing but outrageous lies

2013-04-08-Missouri-Lexington-Overstreet-Hearing-bill-preparing-in-courtroom-cropped

Case involving charges against Bill Windsor of Lawless America was dismissed by the judge – Nothing but outrageous lies.

Bill Windsor went to trial in Lexington, Missouri on April 8, 2013 charges by Allie Overstreet (ALL-LIES Overstreet) that he was a would-be serial killer or mass murderer.

The charges would constitute multiple felonies in most states.

Bill Windsor represented himself, and on his motion, Judge John Frerking dismissed the complaint when ALL-LIES could not come up with an iota of evidence.

The charges were a complete total, outrageous lie by ALL-LIES Overstreet.  ALL-LIES swore under penalty of perjury that “William M. Windsor repeatedly published that he had bought a gun to use on a group of people.  I am one of the people.”

I asked again and again for her to produce proof of this, and she came up with nothing.  Judge John Frerking finally gave her five minutes to find some proof from somewhere — anywhere.  She had nothing after eight minutes.  I moved to have the charges dismissed, and my motion was granted.

I never had to call a witness, testify myself, or present any evidence.

Mark Supanich was there to lie his a$$ off for ALL-LIES Overstreet.  He’s a real scumbag, in my humble opinion.  The people in the family court area and Washington state and Missouri need to distance themselves from these two.

At the end of the hearing, the judge referred me to the Sheriff about my criminal charges against ALL-LIES Overstreet.  I also have a civil action for libel, slander, defamation, and more against ALL-LIES Overstreet, Mark Supanich, and I may add Brenda Williamson.

HUGE thanks to David, Trish, Laura, and Cynthia for driving many hours from Michigan and Arkansas to support me and testify.  And special thanks to attorney Kelly Rose, the attorney for the biological father of ALL-LIES Overstreet’s daughter who sat right behind me in the courtroom.  ALL-LIES asked the judge to exclude her from the courtroom, but he said no.  She apparently didn’t like the idea of her adversary observing her lie repeatedly again under oath.  It seemed like Kelly’s presence unnerved ALL-LIES and could have changed her game plan.  If she falsified some documents to use, Kelly may have given her a change of “heart.”

ALL-LIES looked to me like she was going to puke the whole time she was in the courtroom.  I didn’t get a look at her face when the judge directed me to present my criminal charges to the Sheriff, but she sure vanished from the courtroom quickly.

I assured the judge that ALL-LIES Overstreet will be the star of one of my films.  If I said it once to the judge today, I bet I said ten times that “Ms. Overstreet is a pathological liar.”  I fully expect the claims she made to me on camera about the father of her daughter were all false.  HE has custody.  HE passed a polygraph.  SHE has proven herself to be a pathological liar.

I have recorded a video, and I will post it soon.

To see photos from today, go to the Lawless America Facebook Photo Album.

This article originally appeared at www.LawlessAmerica.com.

2013-04-08-Missouri-Lexington-Overstreet-Hearing-bill-preparing-2-640w

 

2013-04-08-Missouri-Lexington-Overstreet-Hearing-Lafayette-Hall 028-640w

 

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Bill Windsor of Lawless America will stand trial on April 8, 2013 in Lexington, Missouri — leaving Atlanta on April 6

Courtroom Gavel

Bill Windsor of Lawless America will stand trial on April 8, 2013 in Lexington, Missouri — leaving Atlanta on April 6.

Bill Windsor of Lawless America heads for Lexington, Missouri on April 6 for the April 8, 2013 trial on charges that he is a would-be Serial Killer and/or Mass Murderer.

My Motion for Continuance to obtain discovery was denied.  My Motion to Vacate the Order of Protection was denied.  My Motion to Film the proceedings was denied.  My Request for a Jury Trial was denied.  Other than that, I’m doing great.

There’s a strong odor coming from Missouri….

I have been accused of buying a gun to use on a group of people.  There’s also a report that a judge in Santa Clara California says I have threatened many people with a gun and I am a terrorist.  The judge apparently read about it in Allie Overstreet’s petition.

The “trial” of Bill Windsor is set for 1 pm on April 8, 2013 in Lafayette Hall, 1001 Main Street, Lexington, Missouri before Judge John Frerking.

I will be available by telephone at 770-578-1094 from 10 am to 5 pm on April 6 and 7 as I drive.  So if you need to speak with me, here’s your chance.  If there’s no answer, please call back as that will mean I am on the phone with someone else.

I received an anonymous email tonight from KillBill@yahoo.com — same IP address of Sean B**shie.  Sean B**shie has posted a message saying he will be at the Missouri hearing as Alley’s bodyguard.  Here’s the message: “Bite me you fat fuck!!!! You are a worthles spineless coward who only has the balls to attack a woman. Come after me and see how much fun you have. Did I mention, fuck you asshole??”

I also received a message from someone I know tonight saying that they have information that will cause me to fear for my safety.  I was told this information needs to be communicated to the police.  I will be speaking with folks about this tomorrow.

Just another normal day for me………..


The case is # 13LF-CV00289 in the Circuit Court, 15th Judicial Circuit, Lafayette County, Missouri.

In response to the complaint filed against him by Allie L. Overstreet, Bill Windsor has filed a Petition for a Protective Order against Allie L. Overstreet.

Bill Windsor has also filed these procedural motions:

Request for Jury Trial

Motion for Accelerated Discovery

Motion for Recording in Courtroom

Motion for Court Reporter

Complaint for Damages against Allie Overstreet, Mark Supanich, and John Does

Bill Windsor is headed for the Lexington, Missouri area on April 6, 2013.  It’s an 800-mile trip from Atlanta, and he will take two days.

Once in Missouri, Bill Windsor will be meeting with witnesses, doing some filming, and preparing for trial.

Bill Windsor will be representing himself.  When asked about this decision, Windsor said: “I’ve never met an attorney who I felt could do a better job than I can.  And I work for free.  Furthermore, I’m honest; I care; and I will work as long and as hard as needed to be fully-prepared.  When you get right down to it, I have no respect for attorneys.  It’s a profession that often requires dishonesty.”

Bill Windsor sends his thanks to the many people who have sent affidavits to be presented to the court.  “I’ve received approximately 100 so far.  Six people have confirmed that they are coming to the hearing in Lexington, Missouri.  If you can, Meet Me in Missouri.”

Windsor will be sending out news releases to all the media in Missouri.  Maybe some of them will show up to cover the “trial” of a grandpa falsely and maliciously accused of being a would-be serial killer.

Background

Allie Overstreet has filed a criminal complaint in Missouri claiming that Bill Windsor “has bought a gun for use on a group of people.” Allie Overstreet says I have “repeatedly” published this on the website.

This is a first in my 64 1/2 years.  At 10 pm on March 20, 2013, a sheriff appeared at our front door.

I was served with an Adult Abuse/Stalking Ex Parte Order of Protection.

I guess I am being accused of being a serial killer-to-be.  My accuser is a serial liar.

Here is the documentation that I was given.

This is the first time I have ever had the police come to see me or indicate that I might have ever done anything illegal (other than traffic tickets) in my entire life.  I have never been arrested, charged with, or convicted of a crime.  I have never been in a jail or prison except as a visitor.  I haven’t even had a traffic ticket or parking ticket in over 12 years.  And I have never, ever bought a gun to be used on anyone.

Allie Overstreet has made one lie after another under penalty of perjury.

The complaint against me is attached.  I have heard that Sean B**shie (my original stalker) is planning to be there to testify for Allie.  Two or more liars against one honest man can be devastating.  I don’t know that anyone will come to be there to testify for me, so I thought affidavits would be the next best thing.   If you want to provide an affidavit, please email me at nobodies@att.net. I will be leaving for Missouri as early as April 2, so please contact me ASAP.

If you are anywhere near Lexington, Missouri on Monday April 8, 2013 at 1 pm, please join me in Courtroom B of the Circuit Court of Lafayette County.  I promise an exciting hearing.  I will be available the evening of the 8th and all day the 9th to film anyone who wants to come to be filmed.  Unless I get sent to the big house.

Here is the Criminal Complaint that I filed against Allie Overstreet on March 12, 2013.  I filed a police complaint against her with Officer Denson in Cobb County Georgia on February 15, 2013.

Here is the Verified Complaint against Allie Overstreet, Mark Supanich, and John Does that was sent to Missouri for approval for filing earlier this week.

If you haven’t read about Allie Overstreet, you may want to read these articles:

Allie Overstreet and her friends are not permitted to read this website.  This article is not abuse, a threaten to abuse, stalk, molest or disturb the peace of Allie Overstreet.  I am simply a member of the press reporting what has happened to me.

This article originally appeared on www.LawlessAmerica.com

Bill Windsor of Lawless America files affidavits in Missouri court on charges that he is a would-be Mass Murderer

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Bill Windsor of Lawless America files affidavits in Missouri court on charges that he is a would-be Mass Murderer.

Bill Windsor of Lawless America has filed 80 affidavits with the Missouri court on charges that he is a would-be Serial Killer or Mass Murderer.

Bill Windsor has been accused of buying a gun to use on a group of people.

Windsor’s “trial” is set for 1 pm on April 8, 2013 in Lafayette Hall in Lexington, Missouri before Judge John Frerking.

CASE NO. 13LF-CV00289

Allie L. Overstreet, Petitioner and Counter-Respondent

William M. Windsor, Respondent and Counter-Petitioner

15TH JUDICIAL CIRCUIT, LAFAYETTE COUNTY, MISSOURI

FIRST AFFIDAVIT OF WILLIAM M. WINDSOR

I, William M. Windsor, the undersigned, hereby declare under penalty of perjury:

  1. I am over the age of 21, am competent to testify, and have personal knowledge of the matters stated herein.  I provide this affidavit to be used in this matter and in any other legal proceeding.
  2. A website frequented by the Petitioner, Allie L. Overstreet (“Petitioner” or “Overstreet”) is advertising a $5,000 reward for me – “dead or alive.”  The website is running an article about me titled “Billy the Kid.”  Overstreet is friendly with a number of people and groups who have threatened me with many things, including bodily harm, and death. [A true and correct copy of the opening page of the article is attached as Exhibit 24 hereto.]
  3. Counter-Petitioner is William M. Windsor, 3924 Lower Roswell Road, Marietta, Georgia 30068, Phone: 770-578-1094, email: nobodies@att.net This e-mail address is being protected from spambots. You need JavaScript enabled to view it . I am retired, and this is my only address and phone.
  4. Counter-Respondent is Allie L. Overstreet, 1208 N Main, Higginsville, Missouri 64037, telephone 660-641-9980 or 816-650-2939, email: loverstreet09@yahoo.com This e-mail address is being protected from spambots. You need JavaScript enabled to view it . Her known nicknames are Allie and Lori.
  5. Overstreet’s work address is unknown.  She works for a power company of some type.
  6. Overstreet’s date of birth is not known, but she is believed to be approximately 50 years old, white, female, reddish blonde hair, green eyes, 5’9” tall, 160 pounds.  Identifying marks include bumps on her face that may be moles or warts, and she has a lot of freckles. She wears glasses some of the time.
  7. Windsor’s relationship to Overstreet is stalking. Overstreet has stalked Windsor; she was formerly a volunteer for Lawless America.
  8. I am at least 17 years old.  Overstreet is at least 17 years old.
  9. I reside in Marietta, Georgia – Cobb County.  Overstreet resides in Higginsville, Missouri – Lafayette County.
  10. Overstreet and I have no relationship other than Overstreet has stalked me.
  11. Overstreet and I have never resided together.
  12. The residence in which I live is owned by my wife and me.
  13. Overstreet has knowingly and intentionally stalked me, harassed me, followed me online, placed or attempted to place me in apprehension of immediate physical harm, and has threatened to do some of the above.
  14. I am afraid of Overstreet, and there is an immediate and present danger of abuse or stalking based upon the facts set out below.
  15. There are no prior or pending custody court cases before, or orders entered by, any other court involving the parties.
  16. I seek protection from Overstreet. Overstreet is a pathological liar who has filed a bogus stalking complaint against me.  She stalks me.  I believe Overstreet is mentally imbalanced, and I believe she is capable of doing just about anything.
  17. I believe Overstreet is responsible for sending me a bogus death announcement about a 16-year-old boy to try to trick me into publishing it, to have me accused of violating HIPPA laws, to encourage people to berate and chastise me for publishing it, and to encourage people to stop supporting me. [A true and correct copy of the death notice message is attached as Exhibit 1 hereto.]
  18. Upon information and belief, I believe that Overstreet is directly or indirectly responsible for participating in the theft of my father’s identity and the setting up a Facebook page pretending to be my deceased father.  The page had photos of my father on his death bed as well as a photo of his coffin at the funeral home.  The person or persons pretending to be Walter Windsor posted all types of horrible stuff, including the threat that he, she, or it will post photos of my mother (who died of breast cancer 35 years ago) having sex with my deceased father. [A true and correct copy of the page is attached as Exhibit 2 hereto.]
  19. Overstreet has expressed in online postings to me that she was going to “blow you wide open.”  She said I “made a big mistake.” [A true and correct copy of the posting where this is said is attached as Exhibit 23 hereto.]
  20. Despite cease and desist notices, Overstreet continued to post lies about me.  She ignored my request for retractions.
  21. Upon information and belief, Overstreet lied about sexual abuse of her daughter by her ex-husband.  Anyone who would go on camera and lie about something like that is capable of saying and doing anything.  Overstreet expressed to me on camera that her ex-husband licks their 3-year-old daughter’s butt and peepee, digs in her poop garage, likes her butthole candy, liked to eat her butthole, and much more.  Anyone like Overstreet who makes up one lie after another (as she has done in an attempt to damage me) is definitely capable of saying and doing anything.
  22. I am a 64-year-old grandfather.  I am not a stalker.  I am not a criminal.  I have never been charged with or convicted of a crime.  This bogus allegation of stalking by Overstreet is the only time I have ever been involved in a legal proceeding of this type.  I have not even received a traffic ticket or parking ticket in over 12 years.  I have never been in a jail or prison except as a visitor.  I have never used illegal drugs of any type.  I have never possessed illegal drugs of any type.  I do not consume alcoholic beverages.  I have not threatened Overstreet.
  23. I have been producing and directing a documentary film and have been compiling testimony about corruption and dishonest people that has been presented to Congress and will be presented to every state legislator in America.
  24. I have become the victim of stalking, harassment, defamation, libel, slander, and threats (including some death threats).  I have been followed online and have been contacted online for the purpose of harassing and intimidating me.  Stalkers have attempted to terrify, threaten, harass, annoy, and offend me with lewd and profane language, claims of lewd and lascivious acts, threats to inflict physical harm, and more.  The libel and slander is extreme.  Stalkers invent one false claim after another.  People who I don’t know make statements in writing that have no truth whatsoever and can be easily proven to be false.  It’s like they feel they can say anything and get away with it.
  25. Overstreet is one of these stalkers.
  26. The stalking of me includes defamation and the making of false accusations and false statements.  These false accusations include that I am a pedophile, a pedophile lover, anti-gay, bigoted, a tax evader, a criminal operating a scam, a terrorist, a liar, and now a potential serial killer who, according to Overstreet, has “bought a gun for use on a group of people.”
  27. I am the victim of an outrageous petition by Overstreet that has resulted in an Ex Parte Order of Protection.  Overstreet has fabricated a claim against me.  Overstreet has demonstrated to me that she is a pathological liar.  I also anticipate that she will fabricate evidence and likely have witnesses lie for her.
  28. Overstreet has lied to this Court claiming she feared that I was going to use a gun on her and others.  She lied claiming I published this many times on my website.  The only mention of my gun on the website prior to the filing of the petition for an Ex Parte Order of Protection was that I would be bringing it on my trip to Arlington, Virginia.  This was published on February 2, 2013. [A true and correct copy of the only mention of my gun on the website prior to the filing of the petition for an Ex Parte Order of Protection is attached as Exhibit 25 hereto.]  Overstreet cannot possibly claim this was a threat or that she was afraid.  I have a photo of her kissing me (unsolicited) in Washington, DC on February 6 (four days after the story about my gun was published) . [A true and correct copy of a photo of Overstreet kissing me on February 6, 2013 is attached as Exhibit 26 hereto.]
  29. The stalking of me includes threats, several of which I consider to be death threats.  I fear for my safety and the safety of my family. [A true and correct copy of the first death threat received by me is attached as Exhibit 3 hereto.]  Sean B**shie, has used a Glock gun, Charles Manson’s photo, and a big knife as icons when posting messages to me.  He recently threatened to shoot me if I come to Montana. [A true and correct copy of a recent death threat that I received is attached as Exhibit 4 hereto.]  Sean B**shie has posted online that he will be attending the hearing on Overstreet’s petition as Allie Overstreet’s “bodyguard.”  One group promoted for its members to watch the movie “Kill Bill.”  This group, calling itself the American Mother’s Political Party, has “declared war” on me; the leader of the group, Claudine Dombrowski, has publicized that “she will see me” at the hearing on this Petition. [A true and correct copy of threatening messages that I received are attached as Exhibit 5, Exhibit 6, and Exhibit 7 hereto.]  Many horrible videos have been made by stalkers. In several videos, a person believed to now be working with Overstreet threatens to beat me with a hammer.
  30. On or about February 20, 2013, Overstreet began communicating to my supporters that she had been “banned from Lawless America.”   Banning refers to a Facebook procedure that denies someone any access to a Facebook page.  This claim that she had been banned was false.  Overstreet had no information to indicate that her statements were true.
  31. Brian Long received a Facebook message from the account of Overstreet indicating that she had been banned by me.  Overstreet denied that she had sent such a message, but Brian Long’s Facebook account clearly showed that a message was sent from Overstreet’s Facebook account.
  32. Overstreet has been active in defamation, harassment, and libel directed at me.
  33. At approximately half past midnight February 21, 2013, I received a message that indicated it was sent by Brenda Williamson (“Brenda”), a mother who was filmed for Lawless America…The Movie, indicating that Brenda’s son (also filmed) was deaed.  [A true and correct copy of this message that I received is attached as Exhibit 1 hereto.]
  34. The message was false and malicious.  Upon information and belief, Overstreet either sent the message or conspired with someone who did.
  35. The message said Noah Williamson was dead, but he was not.  The message said Noah Williamson took his own life, but he did not.  The message indicated it was sent by Brenda Williamson, but she has told me that she did not send it.
  36. I then received a series of messages from Overstreet and her new boyfriend, Mark Supanich, containing one lie after another.  Overstreet posted false information about this on Facebook, information that she knew was false.
  37. Overstreet continued to post false messages about me on Facebook.  Overstreet lied numerous times in Facebook
  38. At approximately 5:00 pm on Saturday, February 23, 2013, a posting from Overstreet’s Facebook account appeared on the Lawless America Facebook page: “That’s it? This is your big public ousting? A simple trace on the computer that sent that suicide message, would clear things up. Although I doubt that gets posted. Unblocking me so I can watch the train wreck, yet blocking me from commenting to defend myself is a bit juvenile ITell them, Bill, of the donations receipts. Tell them of the movie and Sundance fiasco. Tell them of the thousands of emails you copied me on. Tell them of the one where you are calling them stupid. Tell them of Homeland Security list Bill, and the filming at the capitol. Tell them how Stacey did send your hard drives back and how you gave permission to use the banner and camera. Tell Dottie what you really think of her. Tell them about Montana and the cops chasing you out of the state. Tell them how many social security numbers you have. Tell them about your database Bill. Tell them about the emails you DONT publish. Tell them about the tv show Bill. Tell them of your bad guy list and why they are on it . Tell them how many times you were in your basement when you you said you were on the road. Tell them about the death threats, or rather, the lack there of. Tell them about the trademark and copywrites Bill. Tell them how you sent me every email you ever sent any of them. Tell them about the meetings with movie agents. Go ahead, tell them. Tell them about your precious spreadsheets with all their personal info Bill. And while you are at it, tell them how to track IP’s and proxy’s, and how you never should have trusted a woman with brains enough to keep everything you ever said. …You have made a grave mistake jerking innocent people around for your own midlife crisis. Haters aren’t causing you to fail, YOU are causing you to fail. Lying about stupid shit trying to ruin peoples name, just because they dared to not bow correctly to you. Go ahead, trace the computer. I dare you. Tell them where all these criminal charges you have filed are. Tell them that you knew two weeks before DC we couldnt film in the capitol and that no legislators were coming. Tell them about the two under cover FBI agents in the Senate theater Bill. Tell them how you changed from a regular room to the biggest suite the Crowne had. Tell them how you told me there wont be any movement and you are going to back out. Tell them the timing in which this suicide message appeared. Neh…..you won’t do that, now will ya. Tell them how many letters you have written to congress Bill. Tell them who actually wrote them . Tell them who does all your work for you. Tell them why your son won’t associate his company with Lawless. Tell them how you didn’t renember Noah until I told you who he was. Tell them who got Stop the Silence to endorse you. Who got Washington Families United to endorse you. Who got you conference calls with media. Tell them how you forgoymt to copywrite Lawless and asked me what to do. Tell them how you have tens of thousands of unanswered emails. Tell them who did what Bill. I do dare you to sue me and file charges on me. I cannot wait. I will expose the real corruption within Lawless America gladly, and not on faacebook to a bunch of people who believe in you. I hope you do go to the cops, but I know you won’t because they already know you well. You are the sick one, for not giving a shit about these peoples stories unless it is good PR for you. You are good at talking sweet but suck at covering your tracks. Bring it on Mr. Me, we will see where that suicide message came from and we will blow you wide open for all your lies and using these folks vulnerabilities to your advantage. I am not your average lemming and lying about me to publicly and maliciously discredit my name was a big mistake.” [A true and correct copy of this message is attached as Exhibit 8 hereto.]
  39. This posting is filled with lies and defamatory innuendo designed to damage me.  I did not unblock Overstreet yet block her from posting.  I have never done anything improper with donations receipts.  I am not involved in a movie fiasco.  I am not involved in a Sundance fiasco.  I did not copy Overstreet on thousands of emails.  I have not called people stupid for sending emails.  I prepared a Homeland Security list at the request of law enforcement and Overstreet.  I never did anything improper regarding filming at the Capitol.  Stacy Slaton did send hard drives back to me long after return had been requested.  Hard drives were sent without the requirement of signature and arrived when both my wife and I were out of town and unavailable for receipt.  I never gave permission to use the banner and camera.  I have only one social security number.  I have never had any social security number but the one that he was assigned in Lubbock, Texas in approximately 1964.  I was not in my basement when I said I was on the road.  I have received death threats and threats that I consider to be death threats.  Lawless America has both trademark and copyright rights.  I did not send every email I ever sent to Overstreet.  I have had several meetings with movie agents. I  have not jerked innocent people around for my own midlife crisis.  I have not lied about stupid shit trying to ruin peoples’ names.  I have never knowingly lied about anything in regard to Lawless America.  I have filed criminal charges with several law enforcement authorities.  I did not know two weeks before Meet Me in DC that filming could not be done in the capitol.  I did not know two weeks before Meet Me in DC that no legislators were coming.  I did not change from a regular room to the biggest suite that the Crowne Plaza National Airport Hotel had.  I have written approximately six letters to Congress.  I wrote the letters, but one of the letters was provided by Sharon Kramer.  I do all of my work personally with some help from volunteers.  I remember Noah Williamson extremely well, and Overstreet never had to tell me who he was.  I do not believe that Stop the Silence endorses me.  I do not believe Overstreet got Washington Families United to endorse me.  No one ever arranged conference calls for me with media.  I did not forget to copyright Lawless America.  I did not ask Overstreet what to do regarding copyrights.  There is no corruption within Lawless America.  The “cops” do not know me well.  I am not sick.  I have never “not given a shit” about peoples’ stories unless it was good PR for me.  I have no reason to cover my tracks. I  have not used people’s vulnerabilities to my advantage.  I have never lied about Overstreet.
  40. Overstreet has posted a harassing, libelous, slanderous Facebook post in which she says “Windsor posts things that he know[s] are false…and that he has lost his mind.”  This is absolutely false.  I have never posted anything that I felt was false.  I haven’t lost my mind.
  41. When you compare several of Overstreet’s posts, it seems to show that her strategy with this death notice scam is to claim that I posted knowingly false information.
  42. Overstreet has posted a harassing, libelous, slanderous Facebook post in which she says I am a liar and “make[s] shit up.
  43. Overstreet has posted a harassing, libelous, slanderous Facebook post in which she says I duped people.  I have never duped anyone.
  44. Overstreet has posted a harassing, damaging Facebook posting in which she encouraged people to leave Lawless America.  People have left Lawless America because of Overstreet.
  45. On or about midnight on March 11, 2013, Stalkers stole my father’s identity, and they set up a Facebook page pretending to be my deceased father.  The page had photos of my father on his death bed as well as a photo of his coffin at the funeral home.  The person or persons pretending to be Walter Windsor posted all types of horrible stuff, including the threat that he, she, or it will post photos of my mother (who died of breast cancer 35 years ago) having sex with my deceased father. [A true and correct copy of the page is attached as Exhibit 9 hereto.]
  46. I was compelled to file a police report charging Overstreet with harassment and stalking.  That complaint was filed with the Cobb County Georgia Police Department on February 25, 2013, Case # 13019842. [A true and correct copy of the incident report acknowledgment is attached as Exhibit 10 hereto.]
  47. I then filed a Criminal Warrant Application with the Cobb County Magistrate Court. [A true and correct copy of my copy of the Warrant Application is attached as Exhibit 11 hereto.]  I published a news report about the filing of this Criminal Warrant Application. [A true and correct copy of this news report is attached as Exhibit 12 hereto.]
  48. After my report of the Criminal Warrant Application, on March 14, 2013, Overstreet obtained an Ex Parte Order of Protection against me in the 15th Judicial Circuit Court, Lafayette County, Missouri. [A true and correct copy of my copy of the Ex Parte Order of Protection against me is attached as Exhibit 13 hereto.]  Overstreet signed the complaint under penalty of perjury.  She committed massive perjury.
  49. Overstreet lied to the Court when she said she “quit when I saw him stalking other parents.”  I have never stalked anyone, and Overstreet did not quit for any such reason.  I have all of the emails and Facebook messages to show precisely what happened.
  50. Overstreet misled the Court when she wrote: “Bill Windsor threatens to show up to my April 1 court hearing with cameras and says he has a gun and published my address.”  I have never said anything about bringing a gun to Overstreet’s court hearing.  I had offered to testify as to her lies at her April 1 hearing; it wasn’t a threat.  She successfully blocked me from that testimony through her fraudulently-obtained Protective Order.  I have not “published” Overstreet’s address, though there would not be anything wrong with publishing information that is available to anyone online.  I posted a link to a court document that contains her address as well as my home address, and there is certainly nothing improper about that. Overstreet’s address and personal information is readily available online. [A true and correct copy of a White Pages search showing Overstreet’s address is attached as Exhibit 14 hereto.]  Her son, Daniel, was recently convicted of burglary, and their address was published in the newspaper. [A true and correct copy of the published newspaper report showing Overstreet’s address is attached as Exhibit 15 hereto.]
  51. Overstreet lied to and misled the Court when she wrote: “…since I quit Lawless America, he has threatened me publicly on his website, told lies about me, emailed me threats, brags about a gun, published my address and told others to stalk me, and says he will come here April 1 to this courthouse to sabotage my custody hearing.”  I have never threatened Overstreet on my website.  Threat is defined as “An expression of an intention to inflict pain, injury, evil, or punishment; an indication of impending danger or harm.”  I have never done any such thing. [A true and correct copy of a search on my website for “Allie Overstreet” is attached as Exhibit 16 hereto.] [A true and correct copy of the news reports on my website that include the name “Overstreet” are attached as Exhibit 17 hereto.] There are no threats! [A true and correct copy of a search on my website for “gun” is attached as Exhibit 18 hereto.] 50 results were generated, and not one of them brags about a gun. [A true and correct copy of all emails that I sent to Overstreet since she quit are attached as Exhibit 19 hereto.] There isn’t a threat in any of the four emails that I sent to her after she was blocked.  I have never emailed a threat to Overstreet.  I have never said I would sabotage Overstreet’s custody hearing.  I simply stated that I wanted the judge to know that Overstreet is a pathological liar.  I suspect that she lied about her ex sexually assaulting their daughter. It seems DFS and the court have made that assessment.
  52. Overstreet lied to the Court when she said “William Windsor has repeatedly published on his website that he has bought a gun for use on a group of people.  He lists that group of people and I am one.”  This is an outrageous lie and a degree of perjury that should cause criminal charges to be brought against Overstreet. [A true and correct copy of a search on my website for “gun” is attached as Exhibit 18.]  50 results were generated, and not one of them says anything about me even owning a gun, much less stating that I planned to use the gun on a group of people.
  53. Overstreet lied to the Court when she said “he published a fake copy of criminal charges against me online to 50,000 people.”  I never published a fake copy of criminal charges.  I filed criminal charges. [A true and correct copy of my Cobb County Police Report acknowledgement is attached as Exhibit 10 hereto.] [A true and correct copy of a search on my Criminal Warrant Application against Overstreet is attached as Exhibit 11 hereto.]
  54. Overstreet lied to the Court when she said “he keeps publishing my kids actual address on line and encouraging people to get personal info on me….”  This is simply a big fat lie.
  55. Overstreet lied to the Court when she said I have personal property of hers, namely a video film. [A true and correct copy of the Release Form signed by Overstreet showing that the film produced is not her property is attached as Exhibit 20 hereto.]
  56. Overstreet has outrageously asked this Court to infringe my free speech rights.  Freedom of speech is the right guaranteed by the First Amendment to the U.S. Constitution, to express beliefs and ideas without unwarranted government restriction.  The universal rule in the United States is that equity will not enjoin a libel or slander and that the only remedy for defamation is an action for
  57. I am a member of the press.  Freedom of the press in the United States is protected by the First Amendment to the United States Constitution.  This clause is generally understood as prohibiting the government from interfering with the printing and distribution of information or opinions.  Overstreet has no basis to attempt to interfere with these fundamental rights.
  58. I served Overstreet with a cease and desist notice in an attempt to stop her from making contact and defaming me. [A true and correct copy of this notice is attached as Exhibit 21 hereto.]  Overstreet ignored it.  This was the last contact that I have had with Overstreet.
  59. I published a request for retractions from Overstreet. [A true and correct copy of this publication is attached as Exhibit 22 hereto.] Overstreet ignored it.
  60. I now ask this Court to issue an Order of Protection for me.
  61. Overstreet has knowingly attempted to place me in fear of physical harm; she has associated with others who have threatened or implied the desire to commit physical harm to me, including people who have sent messages to me with deadly weapons – gun, knife, and hammer; has compelled me by force to spend weeks dealing with this bogus protection order matter; has harassed me; has engaged in a purposeful course of conduct involving more than one incident that alarms or causes distress to me and serves no legitimate purpose; that I have suffered substantial emotional distress; that she has followed me in public places online; has stalked me; has purposely and repeatedly engaged in an unwanted course of conduct that causes alarm to me when it is reasonable in my situation to have been alarmed by the conduct; has caused me to fear of danger of physical harm; has committed a pattern of conduct composed of repeated acts over a period of time that serves no legitimate purpose; has sent me unwanted communication; has made unwanted contact.

This First Affidavit of William M. Windsor was sworn before a notary.

Bill Windsor has also filed 79 affidavits provided by witnesses.

 


The case is # 13LF-CV00289 in the Circuit Court, 15th Judicial Circuit, Lafayette County, Missouri.

In response to the complaint filed against him by Allie L. Overstreet, Bill Windsor has filed a Petition for a Protective Order against Allie L. Overstreet.

Bill Windsor has also filed these procedural motions:

Request for Jury Trial

Motion for Accelerated Discovery

Motion for Recording in Courtroom

Motion for Court Reporter

Complaint for Damages against Allie Overstreet, Mark Supanich, and John Does

Bill Windsor is headed for the Lexington, Missouri area on April 2, 2013.  It’s an 800-mile trip from Atlanta, and he will take two days.

Once in Missouri, Bill Windsor will be meeting with witnesses, doing some filming, and preparing for trial.

Bill Windsor will be representing himself.  When asked about this decision, Windsor said: “I’ve never met an attorney who I felt could do a better job than I can.  And I work for free.  Furthermore, I’m honest; I care; and I will work as long and as hard as needed to be fully-prepared.  When you get right down to it, I have no respect for attorneys.  It’s a profession that often requires dishonesty.”

Bill Windsor sends his thanks to the many people who have sent affidavits to be presented to the court.  “I’ve received approximately 40 so far.  Six people have confirmed that they are coming to the hearing in Lexington, Missouri.  If you can, Meet Me in Missouri.”

Windsor will be sending out news releases to all the media in Missouri.  Maybe some of them will show up to cover the “trial” of a grandpa falsely and maliciously accused of being a would-be serial killer.

This article originally appeared on www.LawlessAmerica.com.