The Stratton Family of North Carolina
Fighting back in the Courts
Peter "Bo" Rutledge, and Expert International Litigator/Arbitrator agrees with Jack Stratton
"Stratton has claimed numerous violations of his and his family's procedural Due Process rights,....the alleged deprivations of process and subsequent splintering of the Stratton family are the sort for which a federal cause of action unquestionably exists in this country and in this Circuit.".......
."Stratton's Amended Complaint articulates plausible, specific facts that, when taken as true, state a claim for relief..key sections do allege actions by MCDSS and its agents that would unquestionably violate procedural Due Process and would afford relief....Because these allegations are more than sufficient to clear the 12(b)(6) bar, the Amended Complaint should survive this Court's review..
..."Facts in the record do indeed support Stratton's claims, contrary to Defendants' assertions. (Stratton's) "claims are based on articulated facts..."
"Defendants' attempts to mock Stratton's Amended Complaint....are misguided and incorrect..."
Finally..."Defendants urge this Court to exercise "practicality" and "common sense" and to simply make Mr. Stratton go away. ..., "But Mr. Stratton has met his burdens under the Rooker-Feldman doctrine, substantiality, and Rule 12(b)(6), and this Court should not dismiss his Complaint."...close quote.
PDF, full document
Just a little over a year after Jack's death, his epic fight for justice lives on!
Court Actions
As Jack was dying he was pouring his heart into writing these briefs:
In the
Court of Appeals
for the Fourth Circuit
No. 11-2131
Solomon Stratton
Plaintiff
vs.
Meckenberg County Department of Social Services, et al.
Defendant
No._________
___________________________________________
IN THE
Supreme Court of the United States
_______
SOLOMON STRATTON
Petitioner
v.
MECKLENBURG COUNTY DEPARTMENT
OF SOCIAL SERVICES, ET AL.
Respondent
________
On Petition for a Writ of Certiorari
To the United States Court of Appeals
for the Fourth Circuit
________
PETITION FOR A WRIT OF CERTIORARI