AUTHORíS NOTE: I understand Karen Gast is no longer among the living, however, thereís a woman who works in her shop now that LOOKS JUST LIKE HER (ITíS NOT HER).



U. S. District Court for the Western District of New York at Buffalo



Robert Christopher Kettenburg, Plaintiff

389 Davison Road #4

Lockport, New York 14094

(716) 433-8611




Karen Gast Photography, Defendant

389 Davison Road

Lockport, New York 14094

(716) 434-2642




COMPLAINT Under Title 18 of The United States Civil Statue Code, Part I, Chapter 13,

Section 241: Conspiracy Against Rights.

Section 242: Deprivation of Rights Under Color of Law.

Title 18 U.S. Code, Part I, Chapter 113C, Section 2340A: Torture, as defined in Section 2340.


††††††††† 1.) This action is brought pursuant to Title XVIII of The United States Civil Statue Code for conspiracy against rights, deprivation of rights under color of law, and torture, as defined in Section 2340. Jurisdiction is specifically conferred on the Court by 42 U.S.C. section 2000e-5. Equitable and other relief are also sought under 42 U.S.C. section 2000e-5(g).


††††††††† 2.) Plaintiff, Robert Christopher Kettenburg, is a citizen and honorably discharged veteran of The United States of America and resides at 389 Davison Road #4, Lockport, New York, 14094. Phone - (716) 433-8611. His address on the internet is:


††††††††† 3.) Defendant, Karen Gast, is a woman who owns and operates the business located directly below plaintiffís apartment and drives a silver Jeep Liberty with NY plate BLM6651.


4.) The circumstances regarding said civil rights violations are as follows: Defendant uses her business as a base to track and torture plaintiff, who is an honorably discharged veteran that hasnít committed any crimes. Defendant signals to people in law enforcement when plaintiff leaves his dwelling so that he is tracked and his civil rights are violated. Defendant also likes to put litter boxes with really bad smelling cat litter up into the loft of her business so that the smell seeps up into plaintiffís bedroom, stinking it up. Plaintiff would like to ask the Court: How is it that the defendant stayed in business over the last six months when she averages less than one customer per month? And the answer is, of course, defendant supplements her income by violating the civil rights of honorably discharged soldiers who havenít committed any crimes on behalf of our government/law enforcement, in exchange for money. A simple investigation should show the plaintiff is telling the truth.

WHY? Plaintiff directs this Court to the following internet document:

The story and links contained on said web site should be all the proof this Court needs. Plaintiff believes the information contained on said web page is sufficient evidence to convince a jury of his claims, and plaintiff seeks to exercise his right to Trial by Jury in this civil matter.


5.) The civil rights violations set forth in paragraph 4 of this statement are still being committed by the defendant to this day.


††††††††† 6.) WHEREFORE, plaintiff prays that the Court grant the following relief to the plaintiff:


††††††††† Defendants be directed to pay $30,000.00 for intentional acts committed in paragraph 4 of this complaint resulting in conspiracy against the plaintiff's rights, deprivation of the plaintiff's rights under color of law, and torture, ($10,000.00 per civil rights violation), and, that the Court grant other relief as may be appropriate, including injunctive orders, damages, costs, and any attorney's fees.


††††††††† 7.) I certify that all of the information contained herein is true to the best of my knowledge and that a copy of this complaint was mailed to the defendant using normal mail delivery on October 4th, 2004.


Robert Christopher Kettenburg Pro Se

389 Davison Road #4

Lockport, New York 14094

(716) 433-8611