Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 1 of 35 FOR THE SOUTHERII DISTRICT OF ALABAMA SOUTHERN DIVISION CIVI ACTION NO.: 0 MIC}IAEL HENRY SMITH, Plaintiff al E tsl m EE' -T1 ru (fl Vs. F (n '6 F ALPHABET INC., AMAZON.COM, ATTRACTSOFT GMBH, AUTOMAT. &l (I] It: TIC/GRAVATAR, BEAM.TO, BE S SEMER VENTURE PARTNERS, E' 3 BOX/BOX, INC/OPEN BOXA{EDXT, COATUE MANAGEMENT, DFJ G GROWTH, EZINECENTRE, FACEB OOK, FREEHOS TINGEU, GENERAL ATLANTIC, GOOGLE, ITOCHU TECHNOLOGY VENTIIRES, MACMCA NETWORKS USA, INC., MITSUI & CO, MY SOCIAL HUB XP, NEW ENTERPRISE ASSOCIATES, SAP VENTIIRES, SCALE VENTIIRE PARTNERS, SOCIAL + CAPITAL PARTNERSHIP, TE,LEFONICA DIGITAL, TELSTRA, AND TELSTRA VENTURES, TPG CAPITAL and TUCOWS INC. Defendants. ALA KID, LONG DONG, JIMBO KING, CINDY LOU, BRIANNA NATFIALY, LONG JOHN, NUKE DUKEM, PETER WILL HARDEN, CAPTAIN SPRAWLrNG, CAPTAIN SPAULDING, TIIEREAL MIKESMITH, THEREAL MIKESMITH lER. Defendants that are shielded by aliases. LAWSUIT FOR THE THEFT AND DISSEMINATION OF MY INTELECTUAL PROPERTY, FOR CYBER BULLYING, CYBER STALKING, CYBER HARASSMENT, LIABLE, SLANDER AND DEFAMATION OF CHARACTER, THE USE OF HATE LANGUAGE IN THE PURSUIT OF Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 2 of 35 THESE ACTIONS and/or FOR PROVIDING A SAFE HAVEN THE DEFENDNATS CONDUCTING OF THESE ACTIVITIES and/or FOR FAILING TO PROTECT MY WORKS FROM THESE ACTIVITIES Comes now, the plaintiff to plead that the defendants are all mutually responsible for the theft and illegal dissemination of my intellectual property. That these defendants are all guilty of either the active theft andlor dissemination andlor that they provided the methods and means andlor that they have protected the guilty by providing them a safe haven and/or that they have practiced a willful ignorance that has advanced the theft and dissemination of my intellectual property andlor that their negligence has given rise to that theft. The participation of these same said defendants is the same as their active solicitation of children for an internet pornography site operated by some of the defendantsl, and protected through the same methods and means of their internet Omerta. Exactly why or what the Internet was designed for; our system of governance has decreed that it not be a safe haven for criminal conduct. Whether it be these defendants' vile and disgusting use of it to solicit children for the gratification of their/their customers pedophilia, or to conduct a campaign of cyber bullying and stalking and harassment against me, or merely to steal my intellectual property or to make vast sums of money by turning a blind eye to these criminal acts it is the same conduct. t See Exhibits A-1 and A-2. "Girls 13-17! (Selfies) I am asking for relief - BEAM.TO." 2 as is provided under Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 3 of 35 the laws of our greatnation. This pleading is made in good faith and for good cause set out infra. It is not made merely to vex the defendants or this Honorable Court. Finally it is made under the penalty of perjury pursuant Title 18, $ 162l; and Title 28, $ t746. JURISDICTION AND VENUE The Court has jurisdiction over this action as diversity is present under 28, U.S.C. $ 1332(a) because the parties are diverse from the claimant and the amount in controversy exceeds $75,000, excluding interests and costs. Venue is proper in this district. RULES 8 AND 9 OF THE FEDERAL RULES OF CIVIL PROCEDURE Under Federal Rule of Civil Proced\rre 8(a)(2), a complaint must contain a "short and plain statement of the claim showing that the pleader is entitled to relief." "[D]etailed factual allegations" are notrequired, Bell Atlantic Corp. v. Twombly, 550 U.S. 544 (2007), at 555, but the Rule does call for sufficient factual matter, accepted as true, to oostate a claim to relief that is plausible on its face," id., at 570. A claim has facial plausibility when the pleaded factual content allows the court to draw the reasonable inference that the defendant is liable for the misconduct alleged. Id., at ss6. J Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 4 of 35 The Supreme Court found in Ashcroft v. Iqbal, 556 U.S. . t29 S.Ct. 1937 (2009),that Rule 9(b), which requires particularity when pleading "fraud or mistake" but allows "other conditions of a person's mind [to] be alleged generally," did not require courts to credit a complaint's conclusory statements without reference to its factual context. The Supreme Court concluded that the Second Circuit should decide in the first instance whether to remand to the District Court to allow Iqbal to seek leave to amend his deficient complaint. While I do not have to win this action on the initial pleading2, I have pleaded, within, the facts necessary to give the defendants fair notice of what my claim is and the grounds upon which it rests. This has resulted in a slightly longer initial pleading than normal due to the recent rulings of the United States Supreme Court. This is a non-exhaustive recitation of the known and unknown. Should the defendants feel that I have failed in this mission they have the option to make specific objections and request this Honorable Court to issue an Order for a more specific pleading. do not have to meet the pre-1938 pleading standards. 2 Conleyv. Gibson,355 US 41,43,47-48,78 S.Ct.99, 103 (1957) 4 I Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 5 of 35 STATEMENT OF THE FACTS Onthe 4th of July, 2075,I listedthe firstvolume of my short story series "The Waco, Texas, Biker Massacre" on the Kindle Direct Publishing service provided by Amazon; and paperback version 'oThe Waco Biker Massacre" on the CreateSpace service provided by Amazon. Within weeks of publishing as Defendants protected these titles persons listed by aliases, and others not named here, started offering my work for free through the named defendants. Over the next seven months I tried in vain to have the named defendants stop the harassment and bullying and stalking and dissemination of my works The defendants that are named but their identities are protected by the other defendants have openly engaged in Cyber Bullying, Cyber Stalking, Harassment, Def- amation of Character, Slander and Liable. They have used Hate Speech amongst other methods to harm me. See, Exhibit 'B-1' and 'B-2' . The named defendants have agreed to totally obscure the names and addresses of the peoples carrying out these crimes. Some have agreed to obscure the names and addresses of those defendants providing first person services to those that are carry- ing out these crimes. Some have remained passive in the light of these crimes and pretended ignorance. As of today,it is my estimation that some 100,000 copies of my work have been distributed without my receiving a single Sioux in compensation. 5 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 6 of 35 I have not been able to release Volume Two of this work as the defendants have decimated Volume One. THE DEFENDANTS This is a list of the defendants named in the above styled action. These claims are non-exhaustive and are only made to the best of my knowledge and belief at the time of this writing so as to comply with Rule 9, F.R.Civ.P. I fully expect that the discovery process will further illuminate the wrong doings of the defendants. Alphabet Inc. 1 600 Amphitheatre Pkwy, MOUNTAIN VIEW CA 94043-1351 Phone: +1 (650) 253-0000 Fax: *1 (302) 636-5454 Alphabet Inc. is the parent company of all things Google. As such it sets the customs, practices and perfofinance standards for all things Google and derives a generous amount of its income from all things Google. It is the policy and practice of Alphabet Inc. to mandate that Google push content onto its pages thereby generating vast sums of money for Alphabet Inc. Aiding and abetting the other defendants in activities as diverse as stealing my short story to soliciting children for child pornography are its methods and means. Atphabet Inc. and Google provide a safe haven 6 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 7 of 35 for these intemet criminals because people frequenting the web sites that they host; along with their search engines; drive customers and customer spending which enrichens them. What Google is and does is the direct result ofthe directions it receives from Alphabet Inc. Amazon 410 Terry Ave. North Seattle, WA 98109-s210 Amazon, Amazon.com, Kindle Direct Publishing and Create Space, are all of one company and one defendant. Amazon enticed me to publish my works on their websites and sell them through these websites. Amazon was negligent in its fiduciary responsibilities as my publisher to protect my works from the larceny of the other defendants. I claim that their negligence was gross negligence since they indirectly profited from the hijacking of my work. ATTRACTSOFT GMBH Mathildenstr. 18 24148;Kiel Germany Phone: +49 4312207240 This defendant is a hosting service. What this defendant does is to provide anonymity to various criminal enterprises whilst they go about their nefarious industries. 7 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 8 of 35 One of those industries is the theft and distribution of my intellectual properties. Some of the others are the aforementioned sites that solicit children for exploitation and the distribution of child pornography. This defendant makes hundreds of millions of dollars hosting criminal enterprlses; every year. In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, I have contacted these various entities and their sub-entities to obtain the identities of the criminals behind the theft and distribution of my works and to petition these hosting services to stop distributing my works. This defendant and its sub-entities and aliases has refused. They invoke the Internet Omerta. BEAM.TO Child Porn Tonga This is a vagabond3 defendant, protected by the majority of the other named defendants. This is the defendant that is caught red handed in soliciting children for exploitation and for the distribution of child pornography. See, Exhibit 'A'. This defendant is a prime in the theft and distribution of my works. This defendant gives 3 "[A]nd no man wot from whence they came, nor whither they go." 4 Bl. Comm. 109. See, Forsyth v. Forsyth, 46 N. J. Eq. 400,19 Atl. 119; Johnson v. State, 28 Tex. App.562,13 S. W. 1005. 8 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 9 of 35 direct aid to those defendants; protected by their internet aliases; when they steal and distribute my works. BEAM.TO is a criminal enterprise. BES SEMER VENTURE PARTNERS 535 Middlefield Road Suite 245 Menlo Park, CA 94025 United States Phone: +1 -65 0-853 -7000 f'ry; *1-650-853-7001 This defendant is partner of BOX, Inc. BOX, Inc. works in conjunction with BEAM.TO. This defendant is a hosting service. What this defendant does is to provide anonymity to various criminal enterprises whilst they go about their nefarious industries. One of those industries is the theft and distribution of my intellectual properties. Some of the others are the aforementioned sites, like BEAM.TO, that solicit children for exploitation and the distribution of child pornography. This defendant makes hundreds of millions of dollars hosting criminal enterprlses; every yeat. In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, I have contacted these various entities and their sub-entities to obtain the identities of the criminals behind the theft and distribution of my works and to petition these hosting services to stop distributing 9 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 10 of 35 my works. This defendant and its sub-entities and aliases has refused. They invoke the Internet Omerta. BOX/BOX, INC/OPEN BOXA4EDXT 900 Jefferson Ave Redwood City, CA 94063 BOX/BOX, INC/OPEN BOX/\4EDXT works in conjunction with BEAM.TO. This defendant is a hosting service. What this defendant does is to provide anonym- ity to various criminal enterprises whilst they go about their nefarious industries. One of those industries is the theft and distribution of my intellectual properties. Some ofthe others are the aforementioned sites, like BEAM.TO, that solicit children for exploitation and the distribution of child pornography This defendant makes hundreds of millions of dollars hosting criminal enterprlses; every year In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, I have contacted these various entities and their sub-entities to obtain the identities of the criminals behind the theft and distribution of my works and to petition these hosting services to stop distributing my works. This defendant and its sub-entities and aliases has refused. They invoke the Internet Omerta. 10 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 11 of 35 COATUE MANAGEMENT 9 W 57th St New York, NY 10019 This defendant is partner of BOX, Inc. BOX, Inc. works in conjunction with BEAM.TO. This defendant is a hosting service. What this defendant does is to provide anonymity to various criminal enterprises whilst they go about their nefarious industries. One of those industries is the theft and distribution of my intellectual properties. Some of the others are the aforementioned sites, like BEAM.TO, that solicit children for exploitation and the distribution of child pornography. This defendant makes hundreds of millions of dollars hosting criminal enterpflses; every yea1. In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, I have contacted these various entities and their sub-entities to obtain the identities of the criminals behind the theft and distribution of my works and to petition these hosting services to stop distributing my works. This defendant and its sub-entities and aliases has refused. They invoke the Internet Omerta. 11 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 12 of 35 DFJ GROWTH 2882 Sand Hill Rd #1s0 Menlo Park, CA 94025 Phone (650) 233-9000 This defendant is partner of BOX, Inc. BOX, Inc. works in conjunction with BEAM.TO. This defendant is a hosting service. What this defendant does is to provide anonymity to various criminal enterprises whilst they go about their nefarious industries. One of those industries is the theft and distribution of my intellectual properties. Some of the others are the aforementioned sites, like BEAM.TO, that solicit children for exploitation and the distribution of child pornography. This defendant makes hundreds of millions of dollars hosting criminal enterpnses; every yeal In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, I have contacted these various entities and their sub-entities to obtain the identities of the criminals behind the theft and distribution of my works and to petition these hosting services to stop distributing my works. This defendant and its sub-entities and aliases has refused. They invoke the Internet Omerta. t2 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 13 of 35 EZINECENTRE C/o Tucows Inc. 96 Mowat Avenue Toronto, ON M6K 3M1 Canada Main telephone : 41 6-53 5 -0123 Main fax:416-531-5584 This defendant is a hosting service. What this defendant does is to provide anonymity to various criminal enterprises whilst they go about their nefarious industries. One of those industries is the theft and distribution of my intellectual properties Some of the others are the aforementioned sites that solicit children for exploitation and the distribution of child pornography. This defendant makes hundreds of millions of dollars hosting criminal enterprlses; every year. In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, I have contacted these various entities and their sub-entities to obtain the identities of the criminals behind the theft and distribution of my works and to petition these hosting services to stop distributing my works. This defendant and its sub-entities and aliases has refused. They invoke the Internet Omerta. 13 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 14 of 35 FACEBOOK Legal Department 18 Hacker Way Menlo Park, Calif 9420s Facebook is a corporation and online social networking service. It also harbors criminals and cyber predators. While it touts that it will not tolerate cyber criminals, it grants them total anonymity and immunity from their actions. It is well committed to the Internet Omerta. Just as all ofthe other defendants, similarly situated, itrefuses to take definitive action; or reveal the identities of the other cyber criminals; unless I bring it into court and then that they receive a court order to disclose the identities of these other criminals. This is Disorderly Housea, and by that age o1d definition makes Facebook an active accomplice in the crimes against me and others. Facebook, just as many others here, is guilty of Misprision of Felonys. When Facebook is confronted with the actual evidence of crimes, such as those committed against me, it is required to take immediate action against the perpetrators. That action would be to report the crimes to the proper authorities. Especially when identified that responsibility to Facebook 4 RIDGE v. STATE ex rel. TATE,6 Div. 406. Supreme Court of Alabama; June 30,1921. l8 U.S. Code $ 4; "Whoever, having knowledge of the actual commission of a felony cognizable by a court of the United States, conceals and does not as soon as possible make known the same to some judge or other person in civil or military authority under the United States, shall be fined under this title or imprisoned not more than three years, or both." 5 T4 I Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 15 of 35 Facebook is guilty of Disorderly House and Facebook decries any attempt by the citizenry or the law to force it to comply with the law By harboring criminals, Facebook makes many hundreds of millions of dollars annually. FREEHOSTINGEU c/o AttractSoft GmbH Mathildenstr. 18 24148,KieI Germany Phone: +49 431 2207240 This defendant is a hosting service. What this defendant does is to provide anonymity to various criminal enterprises whilst they go about their nefarious industries. One of those industries is the theft and distribution of my intellectual properties Some of the others are the aforementioned sites that solicit children for exploitation and the distribution of child pornography. This defendant makes hundreds of millions of dollars hosting criminal enterprlses; every yeaf . In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, I have contacted these various entities and their sub-entities to obtain the identities of the criminals behind the theft and distribution of my works and to petition these hosting services to stop distributing 15 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 16 of 35 my works. This defendant and its sub-entities and aliases has refused. They invoke the Internet Omerta. GENERAL ATLANTIC Kelly Pettit Associate General Counsel Park Avenue Plaza 55 East 52nd St. 32nd Floor New York, NY 10055 Telephon e (212) 7 I 5 -4000 Fax (212) 759-5708 This defendant is partner of BOX, Inc. BOX, Inc. works in conjunction with BEAM.TO. This defendant is a hosting service. What this defendant does is to provide anonymity to various criminal enterprises whilst they go about their nefarious industries. One of those industries is the theft and distribution of my intellectual properties. Some of the others are the aforementioned sites, like BEAM.TO, that solicit children for exploitation and the distribution of child pornography. This defendant makes hundreds of millions of dollars hosting criminal enterpflses; every year. In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, I have contacted these various entities and their sub-entities to obtain the identities of the criminals behind the theft and t6 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 17 of 35 distribution of my works and to petition these hosting services to stop distributing my works. This defendant and its sub-entities and aliases has refused. They invoke the Internet Omerta. GOOGLE 1600 Amphitheatre Pkwy Mountain View, CA 94043 Phone: (650) 253-0000 Google Inc. is an American multinational technology company specializing in Internet-related services and products. These include online advertising technologies, search, cloud computing, and software. Most of its profits are derived from AdWords, an online advertising service that places advertising near the list of search results. As you can see from Exhibit 'A', Google openly shows the defendant BEAM.TO soliciting children for online pornography and then on the same page it shows the harvested pornography for sale. Google is also ahosting service. What this defendant does is to provide anonym- ity to various criminal enterprises whilst they go about their nefarious industries. One of those industries is the theft and distribution of my intellectual properties Some of the others are the aforementioned sites that solicit children for exploitation and the distribution of child pornography. t7 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 18 of 35 This defendant makes hundreds of millions of dollars hosting criminal enterprises; every year. In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, I have contacted these various entities and their sub-entities to obtain the identities of the criminals behind the theft and distribution of my works and to petition these hosting services to stop distributing my works. This defendant and its sub-entities and aliases has refused. They invoke the Internet Omerta. Google and all things Google are guilty of Misprision of Felony and Disorderly House. AUTOMATTIC GRAVATAR 132 Hawthorne St San Francisco, CA 94107 Phone (877) 273-8550 AutomaticlGravatar is a hosting servtce. What this defendant does is to provide anonymity to various criminal enterprises whilst they go about their nefarious indus- tries. One of those industries is the theft and distribution of my intellectual properties. Some of the others are the aforementioned sites that solicit children for exploi- tation and the distribution of child pomography. 18 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 19 of 35 This defendant makes hundreds of millions of dollars hosting criminal enterpnses; every year. In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, I have contacted these various entities and their sub-entities to obtain the identities of the criminals behind the theft and distribution of my works and to petition these hosting services to stop distributing my works. This defendant and its sub-entities and aliases has refused. They invoke the Internet Omerta. ITOCHU TECHNOLOGY VENTURES 3945 Freedom Cir # 3s0 Santa Clara, CA 95054 Phone (408) 727-8810 This defendant is partner of BOX, Inc. BOX, Inc. works in conjunction with BEAM.TO. This defendant is a hosting service. What this defendant does is to provide anonymity to various criminal enterprises whilst they go about their nefarious industries. One of those industries is the theft and distribution of my intellectual properties. Some of the others are the aforementioned sites, like BEAM.TO, that solicit children for exploitation and the distribution of child pornography. t9 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 20 of 35 This defendant makes hundreds of millions of dollars hosting criminal enterprises; every year. In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, I have contacted these various entities and their sub-entities to obtain the identities of the criminals behind the theft and distribution of my works and to petition these hosting services to stop distributing my works. This defendant and its sub-entities and aliases has refused. They invoke the Internet Omerta. NEW ENTERPRISE ASSOCIATES 2855 Sand Hill Rd Menlo Park, CA 9402s Phone (650) 854-9499 This defendant is partner of BOX, Inc. BOX, Inc. works in conjunction with BEAM.TO. This defendant is a hosting service. What this defendant does is to provide anonymity to various criminal enterprises whilst they go about their nefarious industries. One of those industries is the theft and distribution of my intellectual properties. Some of the others are the aforementioned sites, like BEAM.TO, that solicit children for exploitation and the distribution of child pornography. This defendant makes hundreds of millions of dollars hosting criminal enterprlses; every year. 20 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 21 of 35 In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, I have contacted these various entities and their sub-entities to obtain the identities of the criminals behind the theft and distribution of my works and to petition these hosting services to stop distributing my works. This defendant and its sub-entities and aliases has refused. They invoke the Intemet Omerta SAP VENTURES 3408 Hillview Ave Palo Alto, CA 94304 Phone (650) 849-3950 This defendant is partner of BOX, Inc. BOX, Inc. works in conjunction with BEAM.TO. This defendant is a hosting service. What this defendant does is to provide anonymity to various criminal enterprises whilst they go about their nefarious industries. One of those industries is the theft and distribution of my intellectual properties. Some of the others are the aforementioned sites, like BEAM.TO, that solicit children for exploitation and the distribution of child pornography. This defendant makes hundreds of millions of dollars hosting criminal enterprises; every year. In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, 2l I have contacted these various entities Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 22 of 35 and their sub-entities to obtain the identities of the criminals behind the theft and distribution of my works and to petition these hosting services to stop distributing my works. This defendant and its sub-entities and aliases has refused. They invoke the Internet Omerta. MACNICA NETWORKS USA, INC. 2540 N lst Street Suite 280 San Jose, CA 9513 1 This defendant is partner of BOX, Inc. BOX, Inc. works in conjunction with BEAM.TO. This defendant is a hosting service. What this defendant does is to provide anonymity to various criminal enterprises whilst they go about their nefarious industries. One of those industries is the theft and distribution of my intellectual properties. Some of the others are the aforementioned sites, tike BEAM.TO, that solicit children for exploitation and the distribution of child pomography. This defendant makes hundreds of millions of dollars hosting criminal enterprlses; every year. In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, I have contacted these various entities and their sub-entities to obtain the identities of the criminals behind the theft and 22 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 23 of 35 distribution of my works and to petition these hosting services to stop distributing my works. This defendant and its sub-entities and aliases has refused. They invoke the Internet Omerta. MITSUI & CO 535 Middlefield Rd #100 Menlo Park, CA 9402s Phone (650) 234-5000 This defendant is partner of BOX, Inc. BOX, Inc. works in conjunction with BEAM.TO. This defendant is a hosting service. What this defendant does is to provide anonymity to various criminal enterprises whilst they go about their nefarious industries. One of those industries is the theft and distribution of my intellectual properties. Some of the others are the aforementioned sites, like BEAM.TO, that solicit children for exploitation and the distribution of child pornography. This defendant makes hundreds of millions of dollars hosting criminal enterprises; every year. In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, I have contacted these various entities and their sub-entities to obtain the identities of the criminals behind the theft and distribution of my works and to petition these hosting services to stop distributing 23 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 24 of 35 my works. This defendant and its sub-entities and aliases has refused. They invoke the Internet Omerta SCALE VENTURE PARTNERS 950 Tower Ln #700 San Mateo, CA 94404 Phone (650) 378-6000 This defendant is partner of BOX, Inc. BOX, Inc. works in conjunction with BEAM.TO. This defendant is a hosting service. What this defendant does is to provide anonymity to various criminal enterprises whilst they go about their nefarious industries. One of those industries is the theft and distribution of my intellectual properties. Some of the others are the aforementioned sites, like BEAM.TO, that solicit children for exploitation and the distribution of child pornography. This defendant makes hundreds of millions of dollars hosting criminal enterprlses; every year. In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, I have contacted these various entities and their sub-entities to obtain the identities of the criminals behind the theft and distribution of my works and to petition these hosting services to stop distributing my works. This defendant and its sub-entities and aliases has refused. They invoke the Internet Omerta. 24 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 25 of 35 MY SOCIAL HUB XP Malware This is a vagabond6 defendant, protected by the majority of the other named defendants. This is the defendant that is caught red handed in soliciting children for exploitation and for the distribution of child pornography. Seq Exhibit 'A'. This defendant is a prime in the theft and distribution of my works. This defendant gives direct aid to those defendants; protected by their internet aliases; when they steal and distribute my works. MY SOCIAL HUB XP is a criminal enterprise. SOCIAL + CAPITAL PARTNERSHIP 120 Hawthorne Ave Palo Alto, CA 9430t Phone number (650) 521-9007 This defendant is partner of BOX, Inc. BOX, Inc. works in conjunction with BEAM.TO. This defendant is a hosting service. What this defendant does is to provide anonymity to various criminal enterprises whilst they go about their nefarious industries. One of those industries is the theft and distribution of my intellectual properties. Some of the others are the aforementioned sites, like BEAM.TO, that solicit children for exploitation and the distribution of child pornography. 6 "1A1nd no man wot from whencs they came, nor whither they go." 4 Bl. Comm. 709. N. J. Eq. 400,19 Atl. 119; Johnson v. State, 28 Tex. App. 562,13 S. W. 1005. 25 See, Forsyth v. Forsyth, 46 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 26 of 35 This defendant makes hundreds of millions of dollars hosting criminal enterprises; every year. In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, I have contacted these various entities and their sub-entities to obtain the identities of the criminals behind the theft and distribution of my works and to petition these hosting services to stop distributing my works. This defendant and its sub-entities and aliases has refused. They invoke the Internet Omerta. TELEFONICA DIGITAL 2513 Charleston Rd Mountain View, CA 94043 This defendant is partner of BOX, Inc. BOX, Inc. works in conjunction with BEAM.TO. This defendant is a hosting service. What this defendant does is to provide anonymity to various criminal enterprises whilst they go about their nefarious industries. One ofthose industries is the theft and distribution of my intellectual properties. Some of the others are the aforementioned sites, like BEAM.TO, that solicit children for exploitation and the distribution of child pornography. This defendant makes hundreds of millions of dollars hosting criminal enterprises; every year. 26 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 27 of 35 In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, I have contacted these various entities and their sub-entities to obtain the identities of the criminals behind the theft and distribution of my works and to petition these hosting services to stop distributing my works. This defendant and its sub-entities and aliases has refused. They invoke the Internet Omerta. TELSTRA, AND TELSTRA VENTURES GROUP Suite 1650 575 Market Street San Francisco, California 94L05 This defendant is partner of BOX, Inc. BOX, Inc. works in conjunction with BEAM.TO. This defendant is a hosting service. What this defendant does is to provide anonymity to various criminal enterprises whilst they go about their nefarious industries. One of those industries is the theft and distribution of my intellectual properties. Some of the others are the aforementioned sites, like BEAM.TO, that solicit children for exploitation and the distribution of child pornography. This defendant makes hundreds of millions of dollars hosting criminal enterprises; every year. In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, 27 I have contacted these various entities Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 28 of 35 and their sub-entities to obtain the identities of the criminals behind the theft and distribution of my works and to petition these hosting services to stop distributing my works. This defendant and its sub-entities and aliases has refused. They invoke the Internet Omerta. TPG CAPITAL San Francisco 345 California Street suite 3300 San Francisco, CA 94104 (41s) 743-1500 ph. (415) 743-1501 fax This defendant is partner of BOX, Inc. BOX, Inc. works in conjunction with BEAM.TO. This defendant is a hosting service. What this defendant does is to provide anonymity to various criminal enterprises whilst they go about their nefarious industries. One of those industries is the theft and distribution of my intellectual properties. Some of the others are the aforementioned sites, like BEAM.TO, that solicit children for exploitation and the distribution of child pornography. This defendant makes hundreds of millions of dollars hosting criminal enterprises; every year. In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, I have contacted these various entities and their sub-entities to obtain the identities of the criminals behind the theft and 28 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 29 of 35 distribution of my works and to petition these hosting services to stop distributing my works. This defendant and its sub-entities and aliases has refused. They invoke the Internet Omerta. TUCOWS INC. Toronto Headquarters 96 Mowat Avenue Toronto, ON M6K 3M1 Canada TUCOWS INC. is a hosting service. What this defendant does is to provide anonymity to various criminal enterprises whilst they go about their nefarious indus- tries. One of those industries is the theft and distribution of my intellectual properties. Some of the others are the aforementioned sites that solicit children for exploitation and the distribution of child pornography. This defendant makes hundreds of millions of dollars hosting criminal enterprises; every year. In my endeavors to stop the proliferation of the illegal distribution of my works and the personal attacks on me personally, I have contacted these various entities and their sub-entities to obtain the identities of the criminals behind the theft and distribution of my works and to petition these hosting services to stop distributing 29 Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 30 of 35 my works. This defendant and its sub-entities and aliases has refused. They invoke the Intemet Omerta. DAMMAGES The minimum retail value of a copy of my short story is $3.99. The maximum retail value of a copy of my short story is $9.99. None of that includes the bonuses and awards for selling 100,000 copies of my work. None of that includes the noto- riety for the work that could have garnered it recognition from a movie/television company that would have led to even more income. The personal stress and anxiety and physical injuries that I have suffered as a result of this continuous onslaught of cyber bullying, cyber stalking, liable, slander and defamation of character, and being subjected to hate speech is nearly unquantifiable. - PRAYER FOR RELIEF For all of the foregoing I am requesting that this Honorable Court direct this action to a trial before a jury. That upon the finding of the jury in my favor that this Honorable Court direct the defendants to pay me $1,000,000.00 each for my losses, damages, pun, suffering, emotional distress and harms to my exception of the defendants BEAM.TO and life. That is with the MY SOCIAL HUP XP. That abond defendants be held liable to me for the amount of $100,000,000.00. 30 these vag- Case 1:16-cv-00086-CG-C Document 1 Filed 02/26/16 Page 31 of 35 Respectfully submitted on this26th day February, 2016. 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