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Wednesday, May 9, 2012

THIS INJUNCTION BEFORE CONSERVATIVE JUDGE CHARLES R. NORGLE

THE FOLLOWING MANDATORY INJUNCTION FILED JULY 17, 2003, GIVES A VIVID DEPICTION IN HOW ORGANIZED WHITE MEN HAVE BECOME IN THE STATE OF ILLINOIS COOK COUNTY COURTS, FEDERAL COURTS .

WHEN THE GOVERNMENT INDICTED AND SENT A LOT CORRUPT JUDGES TO JAIL UNDER THE GREYLORD SCANDAL, THEY LEARNED HOW TO OUTSMART THE GOVERNMENT BECAUSE THEY ARE A PART OF THE GOVERNMENT. READ FOR YOUR SELF HOW EVERY JUDGE PREVENTED THE APPELLANT FROM RECEIVING APPOINTMENT OF COUNSEL IN SPITE OF HIS INDIGENCE AND THE NECESSARY METHODS EXHAUSTED TO INSURE HE REMAINED A WELFARE RECIPIENT WITH HIS FAMILY.

STAY TUNE TO THE NEXT POST SCHEDULED FOR THURSDAY OR FRIDAY (MAY 9, 10) HOW CONSERVATIVE JUDGE FRANK H. EASTERBROOK DENIED LEGAL REPRESENTATION TO APPELLANT CITING LAWS RELATING TO INMATES.

I would like to thank all of my readers in Russia, Canada, Brazil, U.K., Ireland, South Africa, France, deeply honored, when the book is published about these events, I will make sure it is prepared in your language. Thank you for your support.


All documents did not scan properly but if anyone requests additional information please email joelouislaw@yahoo.com or Twitter@joelouis7
  
IN THE
UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF ILLINOIS
EASTERN DIVISION

Joe Louis Lawrence
Et al.
Plaintiffs
vs.
Interstate Brands Corporation,
Wonder Bread
Defendant.

Case No. 03 C 3754

Honorable Judge Norgle
JUL 1 7 Z003

NOTICE OF ~.3 • I , .... ..,~ FOR A MANDA'f(jR_y
INJUNCTION
TO: Bradley C. Graveline
Winston & Strawn
35 West Wacker Drive
Chicago, Illinois 60601
Donald W. Fohrrnan
101 West Grand Ave. Suite 500
Chicago, lllinois 60610
James R. Holland, II
BioffFinucane Coffey
Holland, & Hosler, LLP
104 West Ninth Street
Suite400
Kansas City, Missouri 64105-1718
PLEASE BE ADVISED that on July 17, 2003 a motion for a Mandatory Injunction
was hereby filed along with the attaclunents.
"
Respectfully Submitted,
Joe Louis Lawrence
P.O. Box 490075
Chicago, Illinois 60649-0075
(312) 409-7671
\


Joe Louis Lawrence
Et a!, Plaintiffs
vs.
IN THE
UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF ILLINOIS
EASTERN DIVISION
Case No. 03 C 3754
Honorable Judge Norgle
Interstate Brands Corporation,
Wonder Bread
Defendant. JUL 1 7 2003
I r;~:;;:<':J 1.; :-:;. (~~~rr~q~~·~r .;~·.-:.:'!(·: •

.
MOTION FOR A MANDATORY"
INJUNCTION

Now comes lead plaintiff Joe Louis Lawrence, Attorney Pro Se, hereby moves this
Honorable Court for a Mandatory Injunction.
That defendant should be ordered and compelled to adhere to all laws instanter and to
punish with imprisonment/fines. The reasons set forth below.

I. In that, plaintiff sustained a work-related injury August 17, 2002, that was never
challenged by the defendant.

2. In that, defendant falsified and altered records to reflect said injury was not workrelated,
hereto attached, September II, 2002, letter from Kemper Insurance.

3. In that, plaintiff had surgery to repair said rotator tear and torn cartilage, said
surgeon was either threatened/intimidated, hereto attached, February 28, 2002,
letter-citing irregularities to William Heller, M.D.

4. In that, defendant maliciously without legal basis withheld workman's
compensation benefits, so as to punish and retaliate against said plaintiff for being
the whistle blower in this racist terrorism class action lawsuit.

5. Defendant's attorney paid a lump sum of understated workman's compensation at
the end of April 2002.

6. Plaintiff's counsel Donald W. Fohrrnan, stated the horne office instructed the
company attorney not to pay me anything in that there is no legal basis for said
action.


7. Plaintiff is /was being treated by three-well qualified physicians who has not been
paid. Ruben Nichols primary M.D. referred plaintiff to Nillawan Youngsmith (a
diplomate) performed an MRl and EMG of said nerves and found noticeable
damage resulting from the injury and herniated disc in the neck. Carlton West,
M.D. needed to put plaintiff under sedation so as to rotate shoulder (Frozen
Shoulder).

8. Defendant has caused and denied plaintiff medical coverage in accordance to State
laws under the workman's compensation act and because of the above said
condition is not improving.
"Like the nursery rhyme humpty dumpty (I.BC.) Sat on the wall, and had a great
fall, all the kings horses (law firms) and all the kings men (attorneys) could not put
them together again".

9. Defendants are not able to "lynch" said plaintiff the way their brethren reined and
Infamously performed in the south, but is attempting a modem version of
"Lynching" in the north.

I 0. Defendants are trying to resuscitate their racist terrorist order by whatever means
necessary making an "ASS" out of any court, prohibiting plaintiff or any other minority
Equal access of the laws as recorded in this motion and civil rights complaint.
September 11, 2002, taught America we cannot assume or take nothing for granted
and the defendants are no different in that they are willing to sacrifice a company
To enforce their Philosophical Doctrine!

WHEREFORE the aforementioned reasons recorded above plaintiff request this
honorable court to grant a mandatory injunction compelling the defendant to pay
SO% of the total workman's compensation in penalties along with the full pay of
wages that was understated, pay any and aU attorney costs incurred in this matter
pay any and all medical costs llliiiOCiated with this injury.
Imprison/Fine anyone not excluding anyone for their role in this matter

Respectfully submitted,
Joe Louis Lawrence
Attorney Pro Se
P.O. Box 490075
Chicago, Illinois 60649
(312) 409-7671

CERTIFICATE OF SERVICE
JUL 1 7 2003
I Joe Louis Lawrence, plaintiff, certifY that I have on this day deposited said Notice of
"""'\-; \ · ""'· and Motion with all the attachments to all parties recorded in said Motion via
next day mail delivery and regular mail.
 ·
Donald W. Fobnnan & Associates, LTD.
101 West Grand Ave. Suite 500
Chicago, Illinois 60610

Winston & Strawn
35 West Wacker Drive
Chicago, Illinois 60601-9703
Bradley C. Graveline

Bioff, Finucane, Coffey Holland & Hosler, LLP
104 West Ninth Street Suite 400
Kansas City, Missouri 641 05-1 718
James R. Holland, II
Dated: July 17, 2003

Joe Louis Lawrence
Local 734 Welfare Fund I Pension Fund
1645 WEST JACKSON STREET • CHICAGO, ILLINOIS 60612-3237 • Tel.: 312-733-2439
Noc·i.fication Date: April 2, 2003
·Joe L Lawrence f
P.O. BOX 490075-0049
CHICAGO, IL 60649

CERTIPICATE OF GROUP HEALTH'PLAN COVERAGE

Fax: 3~ 2-733-8079
T.:.':PCRTJ'!NT-This ·ce:r:-ti:1c:atE:! yrovj.des e·Jlde:n:-:e of yc"...l::- prio~ health
c::ove·~·ao:t=. 'feu may need to turnlsh i:hts certiti'ca·.:.<:: i:: ycu become
el.i.gj_ble under.· a group health plan thot excludes c:·::>verage.~ for certain
medical conditions that you have before you enr.·oll. This certificate
may need to be provided if medical advice, diagnosia, care, o1.·
treatment was recommended or received for the· condition within the
6-month p~riod prior to your enrollment in the new pln.n. I£ you
cecome covered under another group health plan, check •,o~ith the plan
c.. dmiHiHtrator to see if you need to provide this (~ertj_ficc:.t:~:;:. You may
,;olso ne.P.;C this certificclte to .buy, for yourself or your tam.i.ly, an
i.nsu·r~nce polil':!y that does not, exclude coveragL~ fer 1oedic::,.2. -.;ond.itions
chu.t. zn·~ pb€'\sent before you enroll.

tJHme of Group Health Plan: Local 7Jr1 Welfa:::::c:: Fwtc.;.

Name of Participant: Joe L Lawrence

Idenci fication Number of Part-.icipant: 34 :!.·· 60-7.52 8

"!'his Cercificate applies to the above part1cipant and aL! .. ~ligible
depe.nctents as described in the plan booklet.

Certificate issued by:
' Loc~l 734 Welfare Fund
'l'homas Boehm·
1645 West Jackson Street #650
CHICAGO, IL 60612-3237
(312)733-2439

Date waiting period began:Ol/26/2002

Date coverage began:

Date cbverage ended, 03/05/2003

<Q<~nies
1000 Tower Lane
Suite 325
Bensenville IL 60106-1094

1.11 •• 11 •••• 11 ••• 1•• 11.1 •• 11 ••• 11 ••• 1•• • 1.1.1.1 ••• 1.1.1 •••• 111
JOSEPH LAWRENCE
PO BOX 490075
CHICAGO ll 60649-0075

September 11, 2002

630/860-3750
Fax 630/860-8848
800/71 7 -6806

Claim #: 534 CP 247968 w 534
Date of Loss: August 17, 2002
Insured: INTERSTATE BRANDS CORPORATION
Other:
Office Use: f892GA

On 08/28/02, we received an Employer's First Report of Injury from your employer relative to a claim for
compensation benefits for yourself. After a thorough investigation of the claim, it is felt that this is not an industrial
matter. Our decision is based upon the medical information secured, the facts of the accident and the provisions set
forth in the Workers' Compensation Act of Illinois.

Therefore, any bills you have incurred for treatment of this condition may be. your personal responsibility.

It is always with regret that we deny these claims, and we try to be fair. However, we must be guided by the medical
information obtained and the applicable law.
American Protection Insurance
~~7.~~
Claim Department
630/860-3768
cc: Interstate Brands Corporation
Adam Scholl
Claim File

1000 Tower Lane, Suite 325
Bensenville, IL 60106-1094
630)860-3750
800nt 1-6806

BROOKFIELD SATELLITE
P.O. Box 850
Brookfield, WI 53008-0850
8661637-8927
I, II,, II,,,, II,,, I,, II, I,, II,,, II,,, I,,, I, I, I, I,,, I, I, I,,,, Ill

JOSEPH LAWRENCE
PO BOX 490075
CHICAGO IL 60649-0075

December 29, 2003
LIVONIA SATELLITE
P. 0. Box 537929
Livonia, Ml 48153-7929
8001311-2323
Fax Bensenville: 6301860-8848

Brookfield Satellite: 262n94-4190
Livonia Satellite: 7341953-9034
Claim#:
Date of Loss:
534CP247968VV534
August 1 7, 2002

Insured: INTERSTATE BRANDS CORPORA TIC
Other:
Office Use: F316
I have arranged an appointment for a complete medical examination for you on the date and time indicated
below. If you cannot attend this appointment, please call me immediately at the telephone number below. Failure
to appeartor this appomtment may aftect your oeneiits.

Doctor: Dr. Mark Levin
Address: 160 Biesterfield Rd.
Address: Elk Grove, IL 60007
Telephone: 847-437-1200
Date/Time: january 20, 2004 @ 2 PM

This examination is in accordance with:
( ) The State Automobile No-Fault Act.
( x) The State Workers' Compensation Act.
( x) Important: Bring all your X-rays and/or CT scans to this exam.
( x) 'mportant: Bring all your EMG results to this examination,
American Protection Insurance
s~~
Claim Department
630/860-3765
cc: Interstate Brands Corporation
Wiedner & Mcauliffe Ltd
Adam Scholl
Claim File
February 28, 2003
Midland Orthopedic Associates, S.C.
2850 So Wabash
Chicago, Illinois 60616


Dr. Willie Heller,

On Thursday February 27, my attorney informed me of a medical
report you submitted to his attention.

To the best of recollection, under objective as to whether my injury was workrelated,
you wrote you did not know, but stated, "If I said, I hurt myself on the truck,
you see no reaso11 not to believe what I said."
A- You prepared that report with fabricated falsehoods so as to demonstrate no
involvement in this matter, WHY?

My doctor, Rueben Nichols, referred me to you because my former Orthopedic Surgeon,
Carlton West, made it clear to me; he could not help me and suggested that I see a
Neurosurgeon.

My opinion, someone either threatened or intimidated him in some matter because he
changed only after 3 vehicles tried to run my vehicle into traffic, one SUV made an
attempt to crash me from behind only after my wife screamed noticing the vehicle. The
other vehicle a van sat in front of my house for 4 days all night, they followed me to Dr.
west's office during the week of September 23,2002. A police report has been filed.

I explained all of the above to you in our first office visit. It was made perfectly clear to
you, this case may get hectic, your reply "I do not have to worry about nothing like that
here" and further stated "Rueben is a very good doctor, a good man. Prior to our above
conversation you shook my hand and demonstrated a genuine concern when you asked
me to explain how my injury was sustained.

It was made clear to you that, I was unloading my truck in a lot of traffic, and was using
my pole to reach bread trays, that could not be reached by hand, while reaching and
pulling back with the pole, I lost my balance. My right foot slipped off the rear bumper
of the truck, as I was falling backwards, I immediately snatched the inner railing grabbing
hold, so as to break myself from falling off the truck. (You were taking notes and was
interrupted where you left the office).

You returned briefly, and at this time, you were holding my left arm gently asking me
point to where the pain was. I explained, that there was a burning pain under my arm
inside my shoulder like a nerve. (You interjected, "I Don't Think There Is Any Nerve
Damage'') and a stinging pain in my left outer shoulder. It was made clear to you, I had
to be careful because a sudden jolt aggravates the entire left sidt:, (You appeared
confused) You demonstrated by holding your arm up as if you were doing a bicep curl,
and asked, "When you fell back, did you grab the inner railing of the truck this way"?

My reply, was no, I demonstrated using iny right hand turning it upside down extending
it showing how the inner railing was snatched, your reply, "Oh Oh I SEE", Now I see in
an emphatic manner, you further stated, "that my arm w~1s either tender or
inflamed and that, "you had something for pain", You gavt~ me a Cortisone shot.

You said the first few hours, I would experience some pain, after that, I would not feel a
thing. You said, "my humorous head may have fallen out the socket, but went back in at
the time of the MRI", but you would have to study the film." (NOT TRUE- I had pain
and heard crackling sounds in my shoulder after that shot).

February 7, 2003, when I reported to your office after surgery you were
very standoffish towards me, you even demonstrated some reluctance
entering the room with me. When you finally walked in, you was not
cordial, I told you that my arm had been killing me, your response was
that, "there was not much wrong with my arm, and that I had a lot of
inflammation that had to be removed."

My reply was thar "you told me and my family in the hospital that I had a torn
cartilage", you became uneasy in your response (stuttering) 'md said "Oh, Oh yeah it
was a little cartilage, I do not have the pictures to show you".

The dialogue we had was clear to me that you wert~ not the doctor I
thought you were!!
2

You deceived me by submitting a fabricated acc(]lunt ofthe objective
assessment of whether or not my injury was work-related.

Hell you got paid, but if you lie to my lawyers with a vague account of
what actually took place in our conversations jeopardizes my right to
receive workman's compensation.

Since you made such a drastic turn in your matter regarding what type
of surgery I really had you must have REALLY been well compensated.
Sincerely,

Joe L. Lawrence
cc:Adam Schall
Rueben T. Nichols
Carlton West

IL Dept. of Professional
Regulations
Judge Timothy Evans
3


January 2, 2004
Donald Fohnnan & Associates
101 West Grand Avenue
Suite 508
Chicago, Illinois 60605

Dear Sir,
#02WC045727

Because of the callous disregard Adam Schall has demonstrated towards me and my case;
especially, the numerous phone calls and written correspondence, that went ignored. I have
retained another Law Firm William G. Pintas & Associates, LTD Law Offices to represent my
interest. I feel Adam has compromised the integrity of your firm and has sold me out to the
highest bidder (Interstate Brands Corporation).

On August 26, 2003 Kemper Insurance told Barbara they were not going to pay for an IME
exam with any doctor, hereto attached, the August 26, 2003 letter.

It is my opinion IBC associate have threaten, intimidated or paid William Heller off my former
Orthopedic surgeon who performed surgery on my shoulder did not want to have anything to
do with me after the surgery.

This matter has been prolonged to further harass and retaliate against me and assist (IBC) for
filing a Class Action Complaint against them in Federal Court!! You Donald Fohrman have
already stated this fact to me.

My family has suffered psychological trauma because of this harassment where we are living
below poverty level and on Welfare!

FOR THE RECORD:
This is bullshit it does not take 5 months to reschedule a medical examination, my family
and I have suffered enough!!

DUE TO THE AFOREMENTIONED, I DO NOT WANT DONALD FOHRMAN &
ASSOCIATES TO REPRESENT MY INTEREST IN THIS CAUSE AT ALL!!!

Respectfully submitted
Joe Louis Lawrence

Cc: William G. Pintas



FAX
T;})ok)al J W. ~tteilip,~
Unlversltyof 1 Cardiology
IDinols II
Medical Center \1

UNIVERSITY OF ILLINOIS HOSPITAL
CARDIOLOGY

Bid. 949 Rm. 2101 M/C 693
1740WESTTAYLOR
Chicago, 1L 60612
Extension: 31l.996.7415
Fax: 312.413.3563
FROM: \\D-c L. lA ®i)(p....
RE: ______________ CC: -------
COMMENTS:
--------


FROM THE OFFICES OF
JAY L.~~~~~-~ PEDIATRIC ORTHOPEDICS, S.C.
II 0 liiiK tl. f " , D. MICHAEL H. JACKER, M.D.
ALAN P. GEGENHEIMER, D O DAVID M. ZOELLICK, M.D.
BUFFALO GROVE OFFICE· . . MITCHELL B. SHEINKOP MD
(847) 541·5050 . VERN(O84N7 )H 6I3LL4S-9 4O0F0F ICE·. RO' U.N•D LAKE BEACH OFFICE>
~ (847) 201-1000
..
Dear Sir,
Donald Fohrman & Associates
101 West Grand Ave. Suite 500
Chicago, Illinois 60601

August 26, 2003
I REPORTED TO DR. MARK LEVIN'S OFFICE AT 10:45 AM ON TUESDAy
AUGUST 26,2003- ONLY TO LEARN THAT HE NO LONGER WORKS AT
THE BUFFALO GROVE OFFICE.

Barbara the office assistant at this facility said a mistake was made:

A) We do not see patients nor are they scheduled on Tuesday
B) Dr. Levin is no longer employed at this facility he opened up
practice at another building.

She informed me" to see a doctor for an IME would not be a problem", I
would have to go Vernon Hills, which is only 10 minutes away, we will give you a map.

Barbara was on the phone talking to Sandra Minehart getting approval for
payment, the other lady (I did not get her name) was letting the doctor know of my
arrival.

Sandra Minehart told Barbara they were not going to pay for my IME with
another doctor they were going to have to re-schedule my appointment, Barbara told
the other lady to hang up the phone "they do not want me to see any doctor"

During this period it was learned doctor Levin was double booked and could not
see me anyway.

Patty from Doctor Levin's office stated, the nurse case manager made an error:
1) Dr. Levin was double booked and could not see me today anyway
2) I was not on the schedule
3) Who told me I had an appointment?
4) They would have to re-schedule me for another day

Sandra told Barbara I had a 9anl appointment, which in my opinion was a
Fabricated set -up of some kind!
A- This entire episode backfired on them and clearly and
Unequivo~ally demonstrate the level of corrupt behavior they
are willing to exhaust to prolong this matter frivolously!


Page2

She was fully aware that Dr. Levin was not able to see me she on:heslrnted this
entire episode as a co- conspirator in this racist terrorist cause.

Pat!iy~""dde.....,cae· g • +.-H.._b waeftlte.......,...i!i
schedule.'"

Wlllether, I attended Buffalo Grove, Elk Grove or any Grove one thing was
certain in our co-unication they had no intention of me weiag any doetor, and
some type of game was being played which made no sense.

Enclosed please find a copy of a letter that Barbara signed acknowledging
my presence at the facility.

Let's go straight to arbitration, I want a Judge to hear and see the Racist Terrorist
Retaliatory Hatred that has been endured being in the FEDERAL COURT!!!

My opinion they have either paid off this doctor or intimidated him well, I
do not feel safe or comfortable, and the next time I am in the company's physician
presence proper surveillance with audio will accompany me.

Respectfully Submitted,
Joe Louis Lawrence


january 7, 2004

Kemper Insurance
1000 Tower Lane, Suite 325
Bensenville, Illinois 60106-1094

Attn: Samantha Minehart
Claim Department
Claim #534CP247968W534

For The Record:
VIA FAX/REGULAR MAIL

I have received 2 letters from your office that states "Failure to appear
for this appointment may affect your benefits." What BenefitsH~

My family and I are receiving Food Stamps and cash in the amount of
$543.00 per month from Welfare because my employer has engaged in
Racial Terrorist Acts by prohibiting me from receiving Workman's
tompensation.

The Attorney General, FBI and US Attorney have knowledge of this
matter.

Hereto attached, the Subrogation Notice from the Illinois Department of
Public Aid, the january 4, 2004 letters to Donald Forhman where they
are no longer my attorneys.

Sincerely
\ )_~~
Joe L. Lawrence
Erclosures:


Rod R. Blagojevich, Governor
Barry s. Maram, Director

To: INTERSTATE BRANDS CORP
7225 SANTA FE DR
HODGKINS, IL 60525

ILLINOIS DEPARTMENT OF
PUBLIC AID
808 south College
Springfield, Illinois 62704
Telephone: (217) 785-8711
TTY: (800) 526-5812

SUBROGATION NOTICE
Petitioner Name: LAWRENCE, Joe
Case Number: 94-218-22-E74568
IDPA Claim #: 058389
Industrial comm. No.: 02 WC045727

The undersigned, Recovery Consultant, Technical Recovery Unit, located at 808
South College, Springfield, Illinois 62704 duly authorized representative of
the Illinois Department of Public Aid, hereby notifies you as follows:

(1) Joe Lawrence a person who receives medical assistance, was injured on or
about August 17, 2002 while employed by Interstate Brands Corp,
7225 Santa Fe Dr, Hodgkins, Il 60525 and, to our knowledge and belief, has
a workers' compensation claim against you fo~ medical expenses incurred as
a result of said injuries.

(2) If you are insured for workers' compensation, this claim should be
referred to your workers' compensation carrier.

(3) Pursuant to the provisions of Illinois Compiled Statutes 305 ILCS 5/ll-22a
and b, the Illinois Department of Public Aid has become subrogated to
Joe Lawrence's right of action to recover medical expenses paid on behalf
of Joe Lawrence from the date of injury to the date of recovery.

(4) You are hereby notified that neither the above-named injured person nor
anyone, on behalf of the injured person has any authority to release the
charge accruing to the Illinois Department of Public Aid by any settlement
o< ooo,<oo>•• o< '"'' ;o;o<•' "'''""'' o>oDo, ~··~

SIGNED:-----~~~-----------------------

DATE SEP 3 2003

Please direct questions to the Bureau of Collections, Technical Recovery
Section, (217) 785-8711.
Copy To: Fehrman, Donald W & Assocs ATTORNEY

LAWRENCE, Joe
WILLIAM ARNOLD, ASSISTANT ATTORNEY GENERAL
Industrial Commission

WIEDNER & MCAULIFFE LTD
E-mail: dpawebmaster@mail.idpa.state.il.us
OPA 3341 (N-7-91)
ATTORNEY
Internet: http://www.state.il.us/dpa/
IL478-2 127
1m
tmrrsnm~ Brnnns rorPnrmton


Employee Statement of Injury or Illness
Name ~oe \ n 0 \ .S.. \.__ &v¥e ,{ ""-
Home Address 'i>c:, ~ .,£ <..{ ')' "<:-> "J S
Home Ph. No. '1 '"~ > '{ "9 1 - oo --{ a
Emp. Number ______ Date of Statement '3:5- "2. ~- Q Z..
City c0..," State l <..... ZIP Cc,.,<.p "-1'1
Other Work PhJne (if applicable) J r t. Yo 7 - 7 <o 7 1
Name of Facility where employed,_-",..1,"-.,~~~-"~"'~~-C=J!........ __________________ _
Address of Facility ___________ City ________ State ___ ZIP ____ _

IBC Ph. Number Name of Supervisor £::>~...\ c c ~, .-.. \
How long employed at the company? """-- ::'> '"'~ \.. ~

Did you become injured or ill while at work at IBC? _k:::"Yes _No. Date of illness or injury ~ - 1 J - <::> <-
Location where injured \.c ~ • 1... """"- J>f<\._~ Date of incident ""&- \ <-.;.<-. Time of lncident.::.:f...,---am,I.Q!!!L
:'R "'- {:s; ~ <>S' I . \. [::-, \ . ' \ Where and to whom did you report the illness or mjury? Location b-.::. o S) ~' .... ~ Name t.~ a ( ~. ,.. \
Whowitnessedyourillnessorinjury "I .P.- ~\ ~ >"""- & -,------=----~---
Why do you believe this is a work-related illness or injury? \ -s. \. ~ ~ \¢> ,.,..__\_ e:.} ~ \ \) s \--£ ~ ~ l.
With whom were you working? & ---------------,.

Describe what you were doing immediately before the injury (incident):
Employee Statement of Injury.or Illness



· · Page2
Describe body part(s) injured. Indicate R' ht ~"'--~
\..,..J..! \«.. . 1,.. ' r-l ...,~ ~ \._ .. "'\
Have you been treated by a physician for a work related injury during the past year? When? _ ...:;J=-o:::._. ---~---Describe
the injury, treatment and outcome-------~------------"""---'-----

Additional Accident Investigation Information: Prior to the incident I was performing one or more of the following activ~ies:
0 Servicing a Machine o Performing Sanitation/cleaning duties o Running 0 Walking 0 Climbing
arUfting en-Primarily using my hands and arms o Working alone, unsupervised o On break · ~ving

How would you describe your attendance record: __ .Good -. _Fair
Do you try to follow all company safety rules and what you know to be safe work-practices? Lt <::z. !>. ~ t:::. 'c.
\
Since the injury or illness; have you discussed how you became injured with your Supervisor? V. Yes __ No
lf"~es,"~hatwasdiscussed: \-\..~ l: .. ~ ':' ~l :S...... ,,.,.S~ ~ .. e.} .'""":'( .~~~Ue r ~,~,\,\i
\._ ,.,_,__, "= . "' , I !-.> \,_.,_k_( "- ..t "\\- \,.,; '{ ' !='\ h Is:,$'€ ..._\;_ '-'l '1-l& \ s . . · · ·
Do you believtyou haJe had all of the safety training needed to pehoim your job safely? • · · Vves · · ·
What addi,ti.onal training do you need?_~,_,::.:::___.,~~~~~~~~::;,.;.~~~;,.._...'!::!.~:;,.~~~_:. _
\ ' ~' AI


Sepkrrnberl6,2002
Wonder Bread LB. C.
7225 Santa Fe Drive
Hodgkins, Illinois 60525
General Manager Jerry Kemp

Attention: Jerry Kemp:

I am writing you to inform you of some serious irregularities, (A) Retaliatory work-related
harassment, (B) Racial Harassment, (C) Hostile work environment, Unequal conditions of
employment, (D) Overt Discrimination based on skin color.

September II, 2002, I received a letter from Kemper Insurance, stating my injury was not workrelated.
There is a Caucasian (Dennis Carlson) route sales driver like myself off work with the same
injury, and to my knowledge has not been denied his benefits, nor has been subjected to the level
of harassment that, I am experiencing.

Facts: August 17, 2002, I was at K&A food and liquors unloading the truck standing in the
center, on the rear bumper pulling trays off the top shelves with my pole;(There was a lot of
traffic on that comer.) I lost my balance falling off the truck, to prevent myself from falling. I
immediately snatched hold of the inner railing to prevent myself from falling off the truck.

That same day, I had an excruciating headache for 2 days, the bottom of my feet were very sore
when walking. Friday and Saturday started work at 4:30am and did not finish my paper work
until almost 8pm, that is 30 hours for 2 days of labor, that I am not receiving any type of
overtime.

Sunday August 18,2002, between 10-llpm, I left a message on ext. 212 stating, I would not be
in Monday because there was pain in my feet, head and that I sat in Epsom salt for more than an
hour, and was going to the doctor Monday.

After learning that ext. 212 was not Don Orsini's extension, I called back on ext. 216, I stated,
"that my shoulder was killing me after soaking in Epsom salt for over an hour, I hurt it yesterday
on the truck, also my feet is sore when walking on it, I need to go to the doctor, tomorrow to see
what is wrong with me. I will bring you a doctors statement Tuesday".

Tuesday August 20, 2002, I reported to work approached Don with my note and went to
explain my shoulder injury, he cut me off and said, "I know, I got your voice mail".

There were about 3 or 4 drivers around at that time, one of the drivers, said he is pissed, look at
him, he is going to have to work now, the other driver said, I would have to take a drug test, they
said he might try to send me out because they were short 2 or 3 drivers.


Darius Hogan (Supervisor) came in and asked what was going on, I explained to him, that I
injured my shoulder Saturday and my doctor thinks, I tore my rotator cuff and he has placed me
on light duty, his reply was "Dam", he said let him get out of here before more hell breaks
loose".

I went to the washroom and returned back into the drivers room and walked up on the
conversation of Don telling Karl (Supervisor) "that my injury was a pre-existing injury, and that
this could not have just happened" Don was shaking his head side to side looking at the doctors
note. Karl never made a comment, but he noticed me standing in the room when Don was
talking.

At 6:10am Don informed me, that Human Resources did not get back with him, and that he did
not know what to do, so he is sending me home.

Friday August 23, 2002, I reported to Human Resources Assistant manager (Carol Gee) and
informed her that, I wanted to file an accident report.

Without the verbiage of hearsay, a meeting was had and Carol was the Chairwoman, it was
professionally managed, it was at this meeting when Don acknowledged, I left him a message on
his voice mail, and Tony Izzo had no knowledge, I left 2 voice messages.

Carol was very diplomatic, by not assessing blame where it was obvious, she merely stated, "We
have here a case of miscommunication a misunderstanding".

She scheduled me to have a drug test and physical at workright medical facility and to report to
work at my normal scheduled time.

The company physician concurred with my treating physicians note, but changed the lifting
restrictions, and advised me to stick to what my doctor suggests.

Monday August 26, 2002, reported to work on light duty, Don appeared to be uneasy or
uncomfortable in my presence, demonstrated rude, abrasive racist behavior. He said, "You want
to ride or drive"? My response, I have no problem driving, the truck would not start, Don
approached me and said, "You can't start a truck, what's the problem"? I got up and told him to
start the truck! He was not able to start the vehicle, and asked Kevin (Supervisor) to start the
truck, he did.

I got back into the drivers seat went to shift gears the ball of the stick came off and was barely
able to tum the steering, there was no power steering fluid in the engine, mind you I have a
rotator cuff injury, told Don the truck could not be driven in my condition. He said, "You need
muscle steering"!

Tuesday August 27, 2002, I presented Don my appointment for an orthopedic Surgeon visit at
9:45 am; he became livid (there were drivers in the room, especially Duane, the Union Steward)
and asked if, I could reschedule, my response was no because Friday August 23, 2002 and

Monday August 26 were missed, and could not miss today' s appointment because he was going
out of town for the week.

He threw his hands up in a frantic emphatically state and asked me, how was I, suppose to get to
the route? My response, I would meet him in my car, he said, you can't take your car on the
route"! And further asked me what was he supposes to do, he gestured at Duane and asked him,
what was he suppose to do? Duane's reply, what about the supervisors van, since you do not
want him to use his car, can he use one of those vans, if they are available? Don threw his hands
up and walked out of the room never responding.

I asked Don again, if he wanted me to drive a van? He put the key in my hands, making sure he
did not to touch my skin, there was no communication.

I met Don at Dominick's on 29th Ashland he was in a venomous rage, when he was unable to
locate certain types of bread, this man would take trays of bread and throw them on the ground
not stale bread but fresh bread. He never in the two days I worked with him demonstrated any
manners, courtesy or a professional temperament for his position as that of a supervisor. He
would bump into you, reach over and never say anything when pulling bread off the truck or in
any other manner.

When we finished at Dominick's he approached me and told me to give him the key to the van
(in a intimidating and hostile manner) and demanded, I take the same unsafe truck to Jewel on
Roosevelt and Ashland, I laughed, the manner in how he approached me left me no alternative,
but to defend myself the best way possible, so he stopped and I reiterated, the reasons why the
truck could not be driven, his face was full of perspiration, he asked me what can I do? I stood
there smiling waiting for him to invoke a physical confrontation, he turned around and got on the
truck.

While at Jewels he continued to throw trays of bread at least 6 full trays along with 4 or 5 stacks
( 4-6 to a stack) of empty trays to the ground in a hostile uncontrollable rage. Don told me Tony
wanted me to return to the bakery to take some racks to Orland Park.

Sincerely,
Joe L. Lawrence

Plant No. Agcy No: Extra
Hodgkins
Employee

Attendance Record
Dept.
840
IDiv
Week Ending:
. I
Route Sales
12/14/02
Date of Overti~~e
; ~_No. Ni!lle I Rte II
! I I
Sun i Hon i Tue 1 Wed
I
Thu I Fri I Sat . Hire Pulls Hours IC011111€nts
585590865lwail Allwledi ~l't ~l'tl~
336SZJ9891non L;;;gm-~-r· ·tt> P I PI P ~ PIP
3416025281Joe Louis Lawrence
3614029471Craig Previs
3324029661Steve 8azelewski
329720599laesnik Kacjj;l
337582216 hrist
P~'-~ <.1(3z.% Eb-ro..J h "t.\J. -s
P = Present 8 =-iii rthilay
S = Sick J = Jury Duty
V = Vacation F = Funeral
H =Holiday H =Medical Leave
LD = Light Duty
e.
/.tiS-\
ll\:Cfs-~
4J_·-p.~
Pt lilt_
~Is
_pI f
PIP
elf
ffi
PA = PersonaT Absent
LW = Lack of Work
1«: = Work ec.p
0 =Disciplinary
\
~ Itt Itt
E>lul-c..
PIP I P
le.lfiP
fJ_f_i£
flflP
09/04/01
07/17/02
07/22/02
bL 09/30/02
12.-'& ·<rt.
10/17/02
10/21/02
l«lRK COHP
-- . ft'x.o"cirtl...-16
"D1U\S.I.o._j C -3 \-'\,~ 1(..
WOOl< COHP
~~-..If
ft+-i2-%,.
I I 8/02 TRAINEE -~~t~'} I~ -~)A\ eo_..,(;. 4;).1-U:
---- I I
SIGNAT\J!E: CARL SAKS
siGNAT\J!E Co • 0 2} S,\; ,
.-J I
DATE~OL/
I


~-1.:::-dt.10..5 1u:sr
. ((!<~nies
1 ooo Tower Lane, Suite 325
Bensenville, IL 60106·1094
630/850-3750
800!111-6806

BF:NSENVILLE SA TELL/TIE
P.O. Bor 850
Brookfield, WI 53008-0850
8561537-8927

ACCELERATED REHAB CENTERS
35212 EAGLE WAY
CHICAGO IL 60678

May 29,2003
Employee Social Security#: 341-60-2528
Claimant: JOSEPH LAWRENCE
P.02

LIVONIA SA TELt.rrt: Fax aensenville: 630/860-BB<
P. 0. Sor 537929 Sensenville SaTellite: 262/794·41!
Livonia, Ml 48153-7929
8001311-2323

Livonia Satellite: 7341953-90:
Claim#:
Date of Loss:
Insured:
Other:
Office Use:
534CP247958W534

August 17, 2002
INTERSTATE BRANDS CORPORA TIC
SXG
811MN
The attached billing is being returned as we are unable to pay at this time for the following reason(s):
(XX) Liability denied
) Bill needs to be itemized
) Medical report is needed to support treatment given (Form 827)
) Case is in litigation, contact undersigned if any questions
) Treatment is not for a compensable injury
) Provide appropriate coding fee schedule
) Attach a copy of chart notes of
) Attach a completed "Attending Physician" Report (Form 829)
) Att.~ch admittance and discharge summaries
) Attach a report of consultation
) Support your charge for surgery with an operative report
) Other
American Protection Insurance
s~~
Claim Department ·
630/BB0-3765
cc: Claim File
TOTAL P.02


Patient Name:
Evaluation Date:
... :::F:!.ERA TED REHABILIT AT! ON CEN1 ~- -~- _. ·
CORRESPONDENCE LOG
Diagnosis C::.:o.=:de::..: _IS ':..:.t-_7/_ -_O__,!fo...<·7 ';'-"tl:..:.· -1-f-· __________ Physician:----------
Correspondence Log
Mailed
5\ 1\09- LR=H 1/0 tci-ma cl 0\.iSYJ~L ~Q r o4J. ill ma n4ft0 mti l.Wwl-~
5-l-6o 6 ~'& \:> w\v....-e.- -\'n.t... b\ \\~ ~~u\d "o~ ~~'\- {o,
P,D.~t>'CI'b't !DD :- P\thi-l+o..~~~(],~L 33318
-Sh_YVL~ cz m 1 ne.h.~.r:~- _ ac(;.
'53l/-C P :J-'-!1- 9&f v
(03o)- t&o ..:_ 37toJ'

August 8? 2004

Agent ..Janaes Chatto

YIAFAX

Enclosed is amplified evidence that corroborates Judge David Haracz's
involvement in a cover-up conspiracy.

On Thursday August 5. 2004 learned from local 7?4 Benefits J:>e.parpnent (Jan)
stated that Payroll Manager. (Emma) informed them that. Workman's
Compensation is tybmitting a check to my attention eyecy week.

Furthermore, Emma stated to her that Joe Lawrence reported back to work as of
June2003.

That because of the above the Ku Klux Klan members of Wonder bread were able
to:
A- Steal my benefits (Workman Compensation).
B- Falsify my employment records so as to commit insurance fraud.
C- Wonder bread is paying into my pension and welfare ever since June
2003.
D• I am on Public Aid with a medical card, but Emma allegedly notified
Public Aid of the numerous false hoods, Public Aid is submitting the bills
to my attention.

Jan stated, I have full medical coverage but a $750.00 deductible must be met.

JHEORY & MOTIVE:

1. Judge Haracz having full knowledge of the above was to use and violate
his jurisdiction by

A- Incarceration by incarcerating Joe Lawrence would enable Wonder
Bread to cover up the criminal acts and place them in a advantageous
position of offering him just enough money in a settlement so as to bail
himself from child support arrearage!

B - Looking for a job, by threatening and intimidating Mr. Lawrence this
is an overzealous attempt to. help Wonder Bread Klansmen of covering
up the fact if anyone found out Mr. Lawrence is an employee in this


2
capacity would implicate the judges' involvement in thi& matter
considerably it

David Haracz has already abuse his authority on the bench and violated defendant
civil rights when he had him taken into custody in handcuffs.

The Chicago Transit Authority attempted a clever approach they destroyed hjs
personnel file saying he was tennimtted while he was off with a work·related
injury where the entire matter was properly filed in the Industrial Commission.

Tom C91#1!s ·tAAI m.e 11!1994 lfl WIWlom my b@t oo IU the CTA he lllould
have me rttutw w !if)d in. no dmt. "tlgyg~Jed. he sllitl. th4 is no lolct. you go
home tUUl fhiltli tJ!HHU wl!i!ll Sllid.· tmtbing Sltilts IUtil tiJ!4 with me".

The CTA outright steals my Pensions and all my wages. Wonder Bread has
someone collecting my benefits in my name.


Cc: Honorable Timothy Evans
Chief Judge
 
Joe Louis Lawrence



IN THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS
DOMESTIC RELATIONS DIVISION
FRANCOISE HIGHTOWER

                                                                                            Docket No.: 88D079012

Plaintiff
v.
JOSEPH L. LAWRENCE
Defendant.

TO: ALPHA BAKING CO
5001 W. POLK
PAYROLL DEPARTMENT
CHICAGO, IL 60644

SUBPOENA DUCES TECUM

YOU ARE HEREBY COMMANDED to make available to the petitioner on or
before October 10, 2003 at the office of Cook County State's Attorney, at 28 N.
Clark Street, Chicago, Illinois, Suite 300 for the purposes of inspecting,
photographing, and copying, the following described and identified documents,
writings, and photographs, or the information that would be contained within:

Income and medical insurance information for JOSEPH L. LAWRENCE social
security number 341-60-2528 . Please include deductions for the last
12 months, evidence of group insurance, profit sharing, deferred,
compensation retirement and 401k plans, and current W-4 and W-2 forms.

IF YOU ARE MAILING OR FAXING THE REQUESTED DOCUMENTS IN LIEU OF A PERSONAL
APPEARANCE IN OUR OFFICE, PLEASE DO NOT SEND ORIGINALS. ALL DOCUMENTS MUST
BE ACCOMPANIED WITH A SIGNED AND COMPLETED EMPLOYER QUESTIONNAIRE. THE
EMPLOY~~ QUESTIONNAIRE IS ATTACHED HERETO.

Mailing the requested documents and information to the ATTN. OF: Calendar 95
at the address listed below will satisfy this subpoena.

YOUR FAILURE TO COMPLY WITH THIS SUBPOENA MAY SUBJECT YOU TO PUNISHMENT FOR
CONTEMPT OF THIS COURT.
WITNESS

CLERK OF COURT

RICHARD A. DEVINE #17052
State's Attorney of Cook County
Child Support Enforcement Division
28 N. Clark, Ste. 300
Chicago, Illinois 60602
(312) 345-2200
SAO 400-18A (REV. 5/97)
20

Return to:
Cook County State 1 S Attorneyrs Office
Child Support Enforcement D1vision
Attention: Calendar 95
28 North Clark, Suite 300
Chicago, Illinois 60602

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