Sie sind auf Seite 1von 4

Case 1:16-cv-00188-MW-GRJ Document 1-2 Filed 05/25/16 Page 1 of 4

EXHIBIT 2

Case 1:16-cv-00188-MW-GRJ Document 1-2 Filed 05/25/16 Page 2 of 4

IN THE CIRCUIT COURT OF THE


THIRD JUDICIAL CIRCUIT, IN
AND FOR DIXIE COUNTY, FLORIDA.
STATE OF FLORIDA

CASE NO. 2014-201CF

VS.

**INFORMATION**
TERRY G. TRUSSELL
W/IVI , DOB
SSN
Defendant(s).
r.o

INFORMATION FOR:
Count I - II
IMPERSONATING A PUBLIC OFFICER (F3) (ref. #3964)
Count III-IV UNLAWFUL USE OF SIMULATED LEGAL PROCESS (F3) (ref #3965)
Count V-XIV UNLAWFUL RETALIATION AGAINST A PUBLIC OFFICER (F3) (ref. #3966)
IN THE NAME OF AND BY THE AUTHORITY OF THE STATE OF FLORIDA:
WILLIAM N. MEGGS, Designated State Attorney for the Third Judicial Circuit of the State of
Florida, charges that in Dixie County, Florida, the above-named defendant(s):
COUNT I: On or about August 15, 2014, did unlawfully and deliberately impersonate or falsely
act as a foreperson of a grand jury, a public officer or employee, in connection with or relating to
the filing of a True Bill against Jeffery Siegrneister, a legal process affecting persons and
property, or otherwise took any action under color of law against persons or property, contrary to
Section 843.0855(2), Florida Statutes.
COUNT II: On or about August 15, 2014, did unlawfully and deliberately impersonate or falsely
act as a foreperson of a grand jury, a public officer or employee in connection with or relating to
the filing of a True Bill against Mark Rains, et. al, a legal process affecting persons and property,
or otherwise took any action under color of law against persons or property, contrary to Section
843.0855(2), Florida Statutes.
COUNT III: On or about August 15, 2014, did unlawfully simulate legal process, including, but
not limited to, an indictment, warrant, or any legal document or proceeding, to wit: a True Bill
against Jeffery Siegmeister, knowing or having reason to know the contents of said document,
proceeding, or the basis for any such action was fraudulent, contrary to Section 843.0855(3).
COUNT IV: On or about August 15, 2014, did unlawfully simulate legal process, including, but
not limited to, an indictment, warrant, or any legal document or proceeding, to wit: True Bill
against Mark Rains, et. al, knowing or having reason to know the contents of said document,
proceeding, or the basis for any such action was fraudulent, contrary to Section 843.0855(3).

Case 1:16-cv-00188-MW-GRJ Document 1-2 Filed 05/25/16 Page 3 of 4

COUNT V: On or about August 15, 2014, did unlawfully and falsely under color of law attempt
in any way to influence, intimidate, harass, retaliate against, or hinder State Attorney Jeffery
Siegmeister, a public officer or employee, involving the discharge of his official duties by means
of, but not limited to, threats of harassment or through the use of simulated legal process,
contrary to Section 843.0855(4).
COUNT VI: On or about August 15, 2014, did unlawfully falsely under color of law attempts in
any way to influence, intimidate, harass, retaliate against, or hinder Dixie County Superintendent
of Schools Mark Rains, a public officer or employee, involving the discharge of his official
duties by means of, but not limited to, threats of or actual physical abuse or harassment or
through the use of simulated legal process, contrary to Section 843.0855(4).
COUNT VII: On or about August 15, 2014, did unlawfully falsely under color of law attempts
in any way to influence, intimidate, harass, retaliate against, or hinder Dixie County School
Board Member Timothy Alexander, a public officer or employee, involving the discharge of his
official duties by means of, but not limited to, threats of or actual physical abuse or harassment
or through the use of simulated legal process, contrary to Section 843.0855(4)
COUNT VIII: On or about August 15, 2014, did unlawfully falsely under color of law attempts
in any way to influence, intimidate, harass, retaliate against, or hinder Dixie County School
Board Member Cheryl Pridgen, a public officer or employee, involving the discharge of her
official duties by means of, but not limited to, threats of or actual physical abuse or harassment
or through the use of simulated legal process, contrary to Section 843.0855(4).
COUNT IX: On or about August 15, 2014, did unlawfully falsely under color of law attempts in
any way to influence, intimidate, harass, retaliate against, or hinder Dixie County School Board
Member Chuck Farmer, a public officer or employee, involving the discharge of his official
duties by means of, but not limited to, threats of or actual physical abuse or harassment or
through the use of simulated legal process, contrary to Section 843.0855(4).
COUNT X: On or about August 15, 2014, did unlawfully falsely under color of law attempts in
any way to influence, intimidate harass, retaliate against, or hinder Dixie County School Board
Member Paul Gainey, a public off
'
employee, involving the discharge of his official duties
by means of, but not limited to, threats
icer orofor actual physical abuse or harassment or through the
use of simulated legal process, contrary to Section 843.0855(4).
COUNT XI: On or about August 15, 2014, did unlawfully falsely under color of law attempts in
any way to influence, intimidate, harass, retaliate against, or hinder Dixie County School Board
Member Dwayne Rollinson, a public officer or employee, involving the discharge of his official
duties by means of, but not limited to, threats of or actual physical abuse or harassment or
through the use of simulated legal process, contrary to Section 843.0855(4).

Case 1:16-cv-00188-MW-GRJ Document 1-2 Filed 05/25/16 Page 4 of 4

COUNT XII: On or about August 15, 2014, did unlawfully falsely under color of law attempts
in any way to influence, intimidate, harass, retaliate against, or hinder Former Florida Governor
Charlie Crist, a public officer or employee, involving the discharge of his official duties by
means of, but not limited to, threats of or actual physical abuse or harassment or through the use
of simulated legal process, contrary to Section 843.0855(4).
COUNT XIII: On or about August 15, 2014, did unlawfully falsely under color of law attempts
in any way to influence, intimidate, harass, retaliate against, or hinder Florida Governor Rick
Scott, a public officer or employee, involving the discharge of his official duties by means of, but
not limited to, threats of or actual physical abuse or harassment or through the use of simulated
legal process, contrary to Section 843.0855(4).
COUNT XIV: On or about August 15, 2014, did unlawfully falsely under color of law attempts
in any way to influence, intimidate, harass,etaliate against, or hinder Florida Education
Commissioner Pam Stewart, a public officer or employee,
r
involving the discharge of her official
duties by means of but not limited to, threats of or actual physical abuse or harassment or
through the use of simulated legal process, contrary to Section 843.0855(4).
STATE OF FLORIDA
COUNTY OF DIXIE
WILLIAM N. MEGGS, STATE ATTORNEY
THIRD JUDICIAL CIRCUIT
William N. Meggs
Designated State Attorney
The foregoing instrument was acknowledged before me on September 18, 2014, by William N. Meggs,
Designated State Attorney for the Third Judicial Circuit of the State of Florida, who is known to me and
did take an oath stating good faith in instituting the prosecution and certifying that testimony was received
under oath from the material witness or witnesses for the offense pursuant to F.R.Cr.P. 3.140(g).

aAk,*
ATLEY
JAN
0,1 Commt # FF 052606
IV Expires October 23, 2017
Bonded TMu Troy Fin Ineuranoe 800-385-7019

Das könnte Ihnen auch gefallen