Milo’s Berkeley Event: Lawsuit Filed Against Berkeley & Violent Mob of Anarchists

Photo courtesy YouTube UC Berkeley Riots.

Plaintiffs:

JOHN JENNINGS, an individual; KATRINA
REDELSHEIMER, an individual; TREVER
HATCH, an individual; and DONALD
FLETCHER, an individual

Allegations:

1. Violation of the Fourteenth Amendment
(42 U.S.C. § 1983)
2. Violation of the Fourteenth Amendment
(42 U.S.C. § 1983 – Monell)
3. Violation of Ralph Act
(Cal. Civ. Code 51.7 & 52)
4. Violation of Bane Act
(Cal. Civ. Code §§ 52 & 52.1)
5. Civil Battery and Conspiracy
6. Negligence
7. Premises Liability; Negligence
8. Intentional Infliction of Emotional Distress
9. False Imprisonment
DEMAND FOR JURY TRIAL

Defendants:

THE REGENTS OF THE UNIVERSITY OF
CALIFORNIA; JANET NAPOLITANO, in
her official capacity as President of the
University of California; NICHOLAS B.
DIRKS, individually as former Chancellor of
University of California, Berkeley; CAROL T.
CHRIST, individually and in her official
capacity as Chancellor of University of
California, Berkeley; STEPHEN C. SUTTON,
individually and in his official capacity as
Interim Vice Chancellor of the Student Affairs

Division of University of California, Berkeley;
JOSEPH D. GREENWELL, individually and
in his official capacity as Associate Vice
Chancellor and Dean of Students of University
of California, Berkeley; MARGO BENNETT,
individually and in her official capacity as Chief
of Police of University of California Police
Department, at Berkeley; ALEX YAO,
individually and in his official capacity as
Operations Division Captain of University of
California Police Department, at Berkeley;
LEROY M. HARRIS, individually and in his
official capacity as Patrol Lieutenant of
University of California Police Department, at
Berkeley; IAN DABNEY MILLER, an
individual, RAHA MIRABDAL, a.k.a. SHADI
BANOO, an individual; CITY OF
BERKELEY, a municipal corporation (Berkeley
California); CITY OF BERKELEY POLICE
DEPARTMENT, a municipal subdivision
(Berkeley California); ANDREW R.
GREENWOOD, individually and in his official
capacity as Interim Chief of Police of the City of
Berkeley (Berkeley California); CITY OF
BERKELEY DOES 1-50; UNIVERSITY OF
CALIFORNIA, BERKELEY DOES 51-100;
and RIOT DOES 101-150.
Defendants.

Full lawsuit includes photo documentation:

https://gallery.mailchimp.com/0579eca0bf695b09b40266abc/files/e5f11be7-76e3-4b99-bc2b-223439636793/complaint.pdf

Introduction to Complaint:

INTRODUCTION
1. This action seeks to protect and vindicate fundamental rights. It is a civil rights action brought under the Fourteenth Amendment against government actors responsible for creating dangerous conditions and exposing the Plaintiffs to physical harm caused by a violent mob of anarchists at a student-sponsored Milo Yiannopolous event (“Yiannopolous event”) scheduled to take place at the University of California, Berkeley (“UC Berkeley” and “University”) on February 1, 2017. Government actors took affirmative measures in preparation for and in response to the riotous mob that left the Plaintiffs in a situation more dangerous than the one in which they found the Plaintiffs.
2. Government actors are responsible for creating and exposing the Plaintiffs to the unlawful actions of an angry mob of violent anarchists by directing law enforcement officers to vacate locations in and around Sproul Plaza and the MLK Center at UC Berkeley, agitating the mob by
issuing feckless disbursal orders and empty threats of arrest from a vantage point where they could ensure their own safety while leaving Plaintiffs exposed to violent assaults, erecting barricades in such
a manner as to enable angry malefactors to surround Plaintiffs and assault them and to deprive Plaintiffs of an exit route, failing to enforce the law and by other affirmative actions. By their failure to intervene or employ reasonable tactical methods to ensure the safety of the Plaintiffs and the public, government actors conducted their official duties with deliberate indifference to the Plaintiffs’ safety, permitting hordes of violent rioters to swarm the university campus in a violent rage. By their failure, government actors are thus responsible for creating and exposing Plaintiffs to known and obvious danger.
3. This action additionally seeks relief from government actors who failed to exercise their duty of care to plan effectively for the foreseeable harms brought upon the Plaintiffs and from the perpetrators of unlawful assaults.