WBTRUTH

Thursday, October 1, 2015

What Salavantis did wrong

In addition to...
1) Working on her campaign site on company time
2) Asking County employee(s) to solicit votes for the Primary election 


Stefanie Salavantis panicked when she lost the "animal rights" vote because the allowed THREE horse to die. Desparate, she wanted to us anything to gain this voting bloc. 

HERE IS WHEN THE MISCHIEF STARTED... She dug up this case (below) when Vito DeLuca was a Public defender and HAD to defend his client. There is no other reason to get this file other than to say "See what Vito did... he is just as bad as me!"


But the owners and reps from Tracy's Hope (Animal Rescue Mission) were having none of Salavantis's tricks. They were seething mad that Salavantis ignored them and could have saved two horses. They claim that Salavantis would not answer their calls.

To make matters worse... Salavantis and another attorney present insisted that "Tracy's Hope" remove their promotion of Vito DeLuca from their web site.

Can you imagine the gall?  Not only did Salavantis not help "Tracy's Place," but selfishly asked that, as a non-profit, that they remove the advocacy of Vito Deluca!

It's all about Stefanie!!

I found the one e mail... but Vito DeLuca was clearly told that "they are pulling files on you." Don't believe that this was the only one. I had to come up with key search words.

THIS IS ILLEGAL.  THIS IS AN UNLAWFUL USE OF YOUR TAX DOLLARS!  SALAVANTIS SHOULD SUFFER THE SAME FATE AS HER BROTHERS AND SISTERS IN PUBLIC CORRUPTION … REMOVAL FROM OFFICE, PROSECUTION, AND JAIL! 

18 3926B THEFT OF SERVICES -
The actor having control over the disposition of services of others, namely THE ACTOR KNOWINLY DIVERTED SUCH SERVICES VALUED IN EXCESS OF $50 TO HER OWN BENEFIT WHEN SHE UTILIZED A MEMBER OF HER LUZERNE COUNTY DISTRICT ATTORNEY STAFF, NAMELY HER SECRETARY, MARILYN KING, and CLERK AND OTHERS, TO FACILITATE AND PROMOTE THE ELECTION CAMPAIGN OF STEFANIE SALAVANTIS TO RETAIN THE OFFICE OF LUZERNE COUNTY DISTRICT ATTORNEY AT VARIOUS DIVERSE TIMES IN 2015, to which the actor was not entitled, knowingly diverted such services to her own benefit or to the benefit of another not entitled thereto in violation of 18 PaC.S.§3926(b).
_________________________________________________________________________________________________________18 903A1 CRIMINAL CONSPIRACY M2 1 COUNT
The actor, with the intent of promoting or facilitating the crime of 18 Pa.C.S. Section 3926B conspired and agreed with MARILYN KING TO DIRECT STAFFERS FROM THE DISTRICT ATTORNEY'S OFFICE AND OTHERS, TO FACILITATE AND PROMOTE THE ACTOR'S ELECTION CAMPAIGN TO RETAIN THE OFFICE OF LUZERNE COUNTY DISTRICT ATTORNEY AT VARIOUS DIVERSE TIMES IN 2015 that they or one or more of them would engage in conduct constituting such crime or an attempt or solicitation to commit such crime, and in furtherance thereof did commit an overt act in violation of 18 Pa.C.S. §903 (a)(1).
_________________________________________________________________________________________________________
18 4113A MISAPPLICATION OF ENTRUSTED PROPERTY AND PROPERTY OF GOVERNMENT OR FINANCIAL INSTITUTIONS M2 1 COUNT
The actor applied or disposed of property, namely THE ACTOR, PERSONALLY AND THROUGH HER SECRETARY, MARILYN KING, AN ACCOMPLICE PURSUANT TO 18 PA CS §306, USED HER PUBLIC OFFICE FACILITIES AND OFFICE EQUIPMENT TO FACILITATE AND PROMOTE THE POLITICAL CAMPAIGN OF STEFANIE SALAVANTIS TO RETAIN THE OFFICE OF LUZERNE COUNTY DISTRICT ATTORNEY AT VARIOUS AND DIVERSE TIMES IN 2015 that had been entrusted to the actor as a fiduciary, or property of the government or of a financial institution, in a manner which said actor knew was unlawful and involved substantial risk of loss or detriment to the owner of the property or to a person for whose benefit the property was entrusted, in violation of 18 Pa.C.S.§4113(a).
_________________________________________________________________________________________________________
TO WIT: THE ACTOR DIRECTLY, AND/OR THROUGH HER COUNTY EMPLOYED STAFF DIRECTED MEMBERS OF HER STAFF ORALLY AND/OR VIA EMAIL (EMAILS DATED MARCH 4 and 5, 2015 BETWEEN MARILYN KING AND ----- -------)TO RETRIEVE A CONFIDENTIAL DISTRICT ATTORNEY'S OFFICE FILE OR FILES FROM A SECURE LOCATION, SPECIFICALLY CASE NO. 3913 OF 2002 WHICH WAS A CRIMINAL CASE
HANDLED BY HER POLITICAL OPPONENT, VITO DeLUCA, ESQ., AND SAID EMPLOYEES DID RETREIVE SAID FILE OR FILES AS DIRECTED.


18 5301(1) OFFICIAL OPPRESSION M2  

The actor, acting or purporting to act in an official capacity or taking advantage of such actual or purported capacity namely DISTRICT ATTORNEY OF LUZERNE COUNTY, knowing that said actor’s conduct was illegal subjected another to arrest, detention, search, seizure, mistreatment, dispossession, assessment, lien or other infringement of personal or property rights; or denied or impeded the exercise or enjoyment of any right, privilege, power or immunity by another, namely MARILYN KING and Other, REQUIRING HER/THEM TO PERFORM POLITICAL AND CAMPAIGN RELATED ACTS IN 2015 THAT WERE PROHIBITED BY REQUIRING HER/THEM TO PERFORM POLITICAL AND CAMPAIGN RELATED ACTS DURING OFFICE HOURS WHEN USE OF STAFF EMPLOYEES IN THAT MANNER VIOLATED PENNSYLVANIA CRIMINAL LAW, in violation of18 Pa. C.S. §5301(1) or (2).

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