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Speaker 1: What's up, everyone, and welcome to another episode of The

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Diddy Diaries. In this episode, we're going to pick up

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where we left off with Ashley Parham's amended complaint against

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Diddy in company. Defending Big Homie, CC then quipped that

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defendant Diddy that he probably hadn't had any ass at

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Tight because he's not used to having anal sex with women,

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which defended Diddy and Doe laughed at. Plaintiff then told

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defendant Diddy that she did not party with him, and

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she did not enjoy partying with him, and that he

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raped her. Defending Diddy did not like plaintiff's response to

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his lighthearted commentary and offered plaintiff money and instructed plaintiff

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to say that the violent rape was consensual and that

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plaintiff was a sex worker. Plaintiff became enraged and yelled

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that defendant Diddy that her rape was not consensual, she

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was not a sex worker, and she refused to take

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any money from him and would tell the police that

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he raped her. Defendan Didty then told plaintiff no one

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would ever believe her that she was raped by him,

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and that she did tell anyone such that they would

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harm her family. Defending Big Homie CC then showed plaintiff's phone,

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which looked as if it was the outside of plaintiff's

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a strange sister's residence, as she could see her sister

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sitting on the couch and her sister's spouse on the balcony.

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It looked as if someone was outside the residence streaming

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the video to defend in Big Homie CC's phone. Plaintiff

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was rattled by what she was seeing on Defendant Big

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CC's phone and was still angry about being gang raped

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and was not complying with Defending Ditty's request to take

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the money being offered to say the rape was consensual.

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Defending Ditty then called defendant Janis in an effort to

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further convince plaintiff not to report her assault. Defending Janice

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yelled at plaintiff to not hurt her son. Plaintiff told

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defendant Janis that her son had violently raped plaintiff. Defending Janice,

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seemingly unfazed by this statement, then continued her demands with

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plaintiff to take the money being offered and not to

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report the rape to law enforcement. Defending Ditty then made

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further throf threats that he had gotten off from bigger

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crimes than this, and referred to Tupac again. After antagonizing,

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Plaintiff defended Big homy Cec then turned to defendant Didty

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and pulled his gun on him, asking him to repeat

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what he said in reference to Tupac. As the two

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of them were exchanging words, plaintiff went behind defendant Big

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homye Cc, where he was seemingly began to protect plaintiff

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defending Big homie Cec then advanced to defending Diddy's, questioning

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him over the comments he made about Tupac. During the commotion,

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a neighbor directly across the street came outside and peered

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into the backyard and asked what all the commotion was about.

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Defendant Big homye Cec then pointed a gun at the

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neighbor and instructed him to mind his business and returned

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to his residence. Defending Big homy Cec then turned the

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gun back on defending Ditty. Plaintiff, not far behind defending

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Big homy Cec, tried to grab defendant Big homy CC's

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hand with that gun. The gun then went off and

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hit a hill behind defendant Chain's residents, and Didty then

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ran up the backstone stairs near the hill in the backyard,

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towards where defendant's KK Shannon brand You were. Plaintiff charged

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towards defendant Ditty, moving the concealed knife from her left

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hand to her right hand and in pursuit of defending Ditty.

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Plaintiff then pushed defending Ditty from behind while on the

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stone stairs, causing him to fall on his back to plaintiff.

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Plaintiff then raised the knife in a rage from the

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events that just transpired and with the intent of driving

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the knife into defending Ditty's back when he turned around

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and began pleading for his life. Plaintiff, shocked now to

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see defendan Ditty acting as a victim, had a moment

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of clarity, and then turned and ran down the stairs

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and outdoor stone staircase back out to the backyard to escape.

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Defending Didty then chased Plaintiff down the stairs and attempted

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to push her, but she was already at the bottom

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of the stairs and gained her footing and wielded the

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knife at defending Ditty's grazing his abdomen. Hearing the commotion,

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defending KK and Brandy emerged and defending KK then began

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administed during first aid to defendan Ditty for the injuries

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caused by plaintiff. Plaintiff tried to make a quick dash

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for the exit, but it was thwarted by another defendant, Doe.

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After a period of time, Plaintiff was able to absconde

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from defendant Doe due to the first aid commotion with

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defendant Ditty, and was able to run down the street.

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Once plaintiff made it onto the street, she began yelling

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loudly for someone to call the police. Defendant Doe, who

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had now caught up with plaintiff, advised plaintiff that she

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was an undercover cop. To this day, Plaintiff is unsure

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of the truth or falsity of that statement. The same

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neighbor then again emerged from his residence asking what was transpiring.

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Just as plaintiff was attempting to answer, gunshots began being

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fired in plaintiff's direction. Plaintiff fled to a car near

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where the neighbor was also taking cover and lost sight

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of defendant Doe. Plaintiff then heard an suv screeching and

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speeding leaving the residence. Plaintiff then entered the home of

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the neighbor, who informed her that he had already called

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the police. Plaintiff informed the neighbor that it was Shawn

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Combs who had raped her and shot at them, but

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the neighbor was unaware of of who defendant Combs was.

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Shortly thereafter, a sheriff from the Contra Coasta Sheriff's Department

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arrived at the neighbor's home. Plaintiff identified the person who

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arrived at the neighbor's home posing as a Contra coast

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to sheriff was defendant Pelotae. Plaintiff told defendant Pelotae, believing

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he was a sheriff from local police, she had been

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violently gang raped by defendant Diddy and others, and that

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she did not have her clothes, phone, purse, car keys,

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her cell phone. Defendant Pelotae, falsely posed as a Contra

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coast To sheriff, told plaintiff and the neighbor that they

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had received several noise complaints prior to the neighbor's call,

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and instructed plaintiff to find a way to get home

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the sheriff. Defendant Pelotae did not offer to take plaintiff home,

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nor did he call for emergency services, including an ambulance,

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nor any offer to take plaintiff to the hospital, nor

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any offer to help plaintiff recover her clothes or effects

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from the end to change residence. The Contra Coast To

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sheriff have confirmed that a police report was made that

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night by plaintiff Parum. The Contra Coast To Sheriffs have

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refused to release any information related to the complaint. On

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the night in question to any source, despite numerous attempts

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made via Freedom of Information Act. Plaintiff observed defendant Pelotae

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and something to the neighbor what looked like an envelope

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at the door. As defendant Pelletier exited, the neighbor went

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to the nearby room and quickly returned empty handed. Plaintiff

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believes the envelope contained cash. The neighbor offered to let

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plaintiff sleep on his couch until she could figure out

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a way to get her possessions and get home, but

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a plaintiff declined uneasy and unsure about the exchange with

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police and the neighbor and police, and only remained at

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the neighbor's residence for a short period of time. Once

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defendant Pelotae, posing as a contra coastal law enforcement left.

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Plaintiff then went back to defendant Chang's residence, where she

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found the door open and her clothes were readily accessible

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in his residence. Defending Shane then emerged as if nothing

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had transpired and offered plaintiff to stay at his residence

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while she slept it off. Plaintiff asked for her purse

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and her keys, but Defending Shane told her she shouldn't

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leave in her condition, and Plaintiff, catatonic and then the

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state of shock and disbelief of the events that transpired,

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stayed at Defending Shane's home while Defending Shane left the home.

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Later that morning, Defending Shane returned to the residence and

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woke plaintiff pubb and finally gave her back her purse,

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cell phone, in keys, and plaintiff left defendant's residence in

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a daze. Plaintiff returned home and tried to make sense

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of what had happened to her. On March twenty sixth,

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twenty eighteen, plaintiff contacted her primary care doctor and asked

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for an HIV and STD test in fear of possibly

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having contracted a disease from her violent rape. Plaintiff tried

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to continue her life as she felt she wouldn't be

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believed as plaintiff already had told what she believed to

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be contra costa sheriff's defendant did he raped her to

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noa vail. Further, plaintiff was under the impression if she

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did continue to say defendan Ditty's name in relation to

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her assault, she would not be believed in her family

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would be in danger. Seemingly, mere days, maybe even the

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day before plaintiff's vicious rape, defendant Shane, had miraculously began

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driving a new car. Plaintiff believes this was payment by

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defendant Ditty for setting up plaintiff to be raped. Plaintiff

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went to the hospital, where the hospital conducted several tests

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on plaintiff, including a rape kit, ultrasound, and X rays. Additionally,

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plaintiff was given IV fluids to stabilize her vitals as

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she was in a severe weakened state from being unable

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to eat and losing a substantial amount of weight since

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the rape occurred. While at the hospital, plaintiff told members

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of her treatment team about her horrific assault, and they

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contacted the Walnut Creek Police. Walnut Creek Police showed up

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to plaintiff's hospital room and took a statement regarding her assault.

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Plaintiff only told Walnut Creek police about the assault from

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the in chains and dough. Plaintiff believes her statements made

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to Walnut Creek Police while the hospital was captured by

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police bodycam footage. Plaintiff further believes her statements made on

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March twenty third, immediately after her the vicious assault, where

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a plaintiff named defendant Ditty directly and by name, may

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be captured by body camera footage, but upon determining the

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sheriff was defendant Pelleta does not believe it was captured

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as he was a co conspirator. Plaintiff filed her report

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to the Orinda Police Department on April seventeenth, twenty eighteen,

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but was too afraid to name defendant Ditty as one

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of her assailants. During this report, Plaintiff provided her clothing

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to the police from the night of the assault, but

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they only retained her underwear to date. The underwear was

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never returned and plaintiff believes no investigation ever commenced. Plaintiffs

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sought assistant from therapists in May twenty eighteen, one of

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which tried to have her therapy appointments covered by a

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victim's compensation fund, which was rejected because plaintiffs was told

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no law enforcement agency had opened an active investigation into

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any of her many reports of her violent gang rapes. Subsequently, thereafter,

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plaintiff asks police for a copy of her report from

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the Walnut Creek Police Department. On July nineteenth, twenty eighteen,

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plaintiff was provided a letter from the Walnut Creek Police

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Department stating that it was unable to furnish this information

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as it's confidential and not subject to public release, despite

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plaintiff not being the public and the victim complaint in

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all right, we're going to wrap up right here, and

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in the next episode, we're going to pick up where

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we left off, and that's with in March twenty twenty four.

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If you'd like to contact me, you can do that

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at Bobby Kopuci at ProtonMail dot com. That's bobbycap u

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Cci at ProtonMail dot com, or if you prefer, you

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can find me on x at Bobby Underscore cap Ucci.

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All of the links that we discussed can be found

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in the description box. What's up everyone, and Welcome to

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another episode of The Diddy Diaries. In this episode, we're

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picking right up where we left off with the Ashley

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Parum allegations against Ditty. In March of twenty twenty four,

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plaintiff was retraumatized by all the events surrounding defendant Ditty,

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including the several civil complaints filed against them, as well

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as the raid on defendant Ditty's California and Florida residences.

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Plaintiff called Contra Coast to sheriffs again in hopes of

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renewing her previous complaint and amending it to ensure defendant

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Ditty's name was included. Plaintiff received no response from the sheriff.

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Plaintiff in July twenty twenty four then emailed the chief

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of the Sheriff's office regarding her complaint, lack of investigation,

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and how she was treated by the initial responding officer.

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Plaintiff then later received a callback from a detective, but

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then nothing further. Plaintiff then began seeking legal counsel for

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her claims, ultimately being referred to undersigned for representation. Undersigned

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counsel also attempted to get a cappy of the twenty

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eighteen police report from Contra Coast to sheriffs, but was

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told that they would not provide their report or any

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other information without a subpoena. Plaintiffs John and Jane Does

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Plaintiffs John and Jane Does are mother and son. Plaintiff

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were taken from their Las Vegas residents by defendant Pelotae.

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As they walked to their vehicle, Defendant Pelotae put a

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gun to plaintiff John Doe's back and instructed him to

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get into a black suv Regarding extraditing plaintiffs for warrants

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to California. Plaintiff did not have any warrants nor convictions.

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Plaintiff demanded to be shown the warrants, and defendant Pelotae

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refused and threatened to shoot plaintiff if they protested further.

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In the back of the black suv was defendant Valdez.

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Defendant was unknown to plaintiff at the time. Defendant was

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dressed in dark clothes and instructed plaintiff not to look

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at him. Plaintiffs were then transported to what they believed

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was defendant Pelotase residents at redacted Bay, Las Vegas. Plaintiffs

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were ordered inside and brought into the living room and

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forced to sit on the couch and then were physically restrained.

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Plaintiff demanded to speak to their attorney, which was refused, ignored,

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or met with threats of violence. It became obvious to

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plaintiffs that this was not a legal arrest and that

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Pelotae was acting outside the color of law. At some

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point thereafter, plaintiff were ordered back into the back of

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a large suv. Defending Gonzales was given the keys to

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plaintiff's vehicle an suv to follow behind the suv. Defending

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Gonzales and Pelotae had a list, which, upon information and belief,

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was a list of safe houses which they could allow

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parties a safe rest bit undetected. Defendant Pelotier appeared to

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be in charge, and he and defendant Valdez were both

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given out orders to the other co conspirator defendants. Plaintiffs

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overhear repeated conversations in the vehicle while being kidnapped and

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transported about following a protocol made by defendant pelote to others.

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Upon information and belief, this protocol was agreed upon codes

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including the use of communication apps like WhatsApp and or Snapchat,

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satellite phones, and referring to other co conspirator defendants by

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their middle names. It was apparent to plaintiff this was

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a professional operation syndicate. Plaintiffs were then trafficked from Las

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Vegas to various locations throughout California. The first location Plaintiff

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00:14:19,879 --> 00:14:24,840
was able to identify was a Danville, California. In the convoy,

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the suv plaintiff was placed in also included plaintiffs suv

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that was driven by Defending Gonzales. Upon information and belief,

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Defending KK was in another suv part of the convoy.

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At some point, Defending Gonzales complained he had trouble keeping

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up with the convoy of black SUVs because the suv

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ran poorly. Plaintiff's alleged the convoy drive was for numerous hours,

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but the exact time was uncertain as they were unable

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to keep adequate track of time. The next location plaintiffs

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00:14:55,960 --> 00:14:58,639
were taken among the safe houses on their route to

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an unknown destination, was us redacted way Danville, California. Plaintiffs

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heard some altercation with the owners of the home. Not

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wanting to be involved with defendant scheme, plaintiff attempted to

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plead to the owners for help and could not understand

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why they wouldn't heed plaintiffs' cries for help. Plaintiffs heard

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the owners speak a foreign language, which they believe was

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farci upon information and belief. This location was approximately twenty

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miles from the home in Orinda where a plaintiff Parum

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was assaulted. During the transportation of plaintiff across day lines,

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they were given water to drink, which plaintiff belief was drugged.

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Defendant Valdez would provide plaintiffs the water, which after drinking,

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00:15:39,159 --> 00:15:44,120
plaintiffs would feel slightly euphoric, dizzy, and sick. Defendant Valdez

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00:15:44,159 --> 00:15:46,840
would demand plaintiff drink the water, but they refused and

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or fake consumption. During the transportation, plaintiff was forced to

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listen to a device with music similar to a device

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associated with Defending kk's nonprofit organization, music beats Hearts, in

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order to prevent plaintiffs from e he's dropping on the

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defendant's conversations. At certain times, the music stopped playing and

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Plaintiff John Doe was able to get earbuds partially out

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of one ear without defendants noticing the ear conversations about

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00:16:12,399 --> 00:16:16,679
the plans they had four plaintiffs. Plaintiffs were then taken

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00:16:16,720 --> 00:16:20,720
to another location at redacted Boulevard in El Serrito, California.

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Plaintiffs were able to keep track of their locations by

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remembering cross streets. When they were finally let out of

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00:16:26,840 --> 00:16:30,919
the vehicle for stops. At this location, Plaintiffs observed an

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00:16:31,000 --> 00:16:34,440
RV arrive at the residence. During this stop is one

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00:16:34,480 --> 00:16:37,919
plaintiff noticed Defendant KK was part of the convoy. At

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00:16:37,919 --> 00:16:41,559
this stop, plaintiff overheard Defendant KK being referred to as

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00:16:41,600 --> 00:16:44,559
her code name, believed to be her middle name, Natasha,

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00:16:44,679 --> 00:16:48,399
discussing visiting the UC Berkeley campus, as defendants seemed very

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00:16:48,440 --> 00:16:51,799
familiar with the area and familiar with the city. Upon

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00:16:51,840 --> 00:16:55,600
information and belief, this location was approximately seven miles from

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00:16:55,600 --> 00:16:59,240
the home in Orinda where a plaintiff were assaulted. Plaintiffs

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00:16:59,240 --> 00:17:02,279
were then taken to another location at the Beacon Grand Hotel.

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00:17:03,440 --> 00:17:06,920
Defending Shane worked at the hotel as a manager. Plaintiffs

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00:17:06,960 --> 00:17:09,160
were taken into the hotel through what appeared to be

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00:17:09,559 --> 00:17:14,319
the side entrance by defending Valdez, Pelotae and Gonzales. Defendant

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00:17:14,359 --> 00:17:17,279
Pelotae told the co conspirators defendants he would stay at

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a different hotel nearby so it wouldn't be leaked to him.

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Once inside the hotel room, plaintiffs were beaten and drugged

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00:17:24,039 --> 00:17:28,680
by defending Valdez and Gonzales. Plaintiffs pleaded with Valdez and

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00:17:28,720 --> 00:17:33,279
Gonzales to release and for mercy. Defended Valdez and Gonzalez

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00:17:33,480 --> 00:17:37,680
instructed plaintiffs to sign paperwork at gunpoint. When plaintiff refused,

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00:17:37,680 --> 00:17:40,319
defending Gonzales would pistol with plaintiff on the back of

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00:17:40,359 --> 00:17:44,640
their heads. Defending Gonzales eventually gave plaintiff a drink, which

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caused them to pass out. Plaintiffs spent the night at

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the hotel, with defending Gonzales and Valdez taking turns watching them.

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The next morning, plaintiffs were restrained and bound by their

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00:17:55,480 --> 00:17:58,640
hands in front and were placed into a vehicle. Plaintiffs

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00:17:58,680 --> 00:18:02,880
and saw defendants Jack and Helena. Upon information and belief

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00:18:02,880 --> 00:18:06,279
Defendant's Jaguar and Helena were in a small sedan like

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color whiter beige. Plaintiffs were then transported to the location

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00:18:10,559 --> 00:18:14,440
of plaintiff Parum's brutal assault on Loma Vista Drive by

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00:18:14,480 --> 00:18:19,119
defending Jaguar and Helena. Defending Helena was the driver and

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00:18:19,200 --> 00:18:23,200
defendant Jaguar was a passenger. Defending Alena Warren plaintiffs if

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00:18:23,200 --> 00:18:25,400
they tried to escape or run that you would have

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00:18:25,400 --> 00:18:29,119
to shoot you. Defending Helena also warn plaintiffs not to

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00:18:29,160 --> 00:18:31,799
throw up in her vehicle, saying you better not throw

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00:18:31,880 --> 00:18:35,160
up in my car or get sick. Defending Helena mentioned

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00:18:35,160 --> 00:18:39,720
having two partners his backup who were bounty hunters. Plaintiffs

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00:18:39,759 --> 00:18:42,440
were familiar with defending Helena, as she had filed a

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00:18:42,480 --> 00:18:45,440
lawsuit against superstar singer Michael Jackson in two thousand and

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00:18:45,519 --> 00:18:48,640
five and filed a creditor's claim against the Jackson estate

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00:18:49,039 --> 00:18:52,599
upon his untimely demise in two thousand and nine. Plaintiffs

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00:18:52,640 --> 00:18:55,839
were familiar with defending Helena from her previous Michael Jackson

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00:18:55,920 --> 00:18:59,160
lawsuits and had previously met with defendant in her home

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00:18:59,359 --> 00:19:02,079
in West Holly Would to determine the credibility of her

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00:19:02,079 --> 00:19:04,799
claims and if they were similar in nature to plaintiffs.

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00:19:05,240 --> 00:19:08,839
Plaintiffs had reported defending Alena multiple times to the LA

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00:19:09,079 --> 00:19:12,359
and oc FBI field offices for her role in the

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00:19:12,359 --> 00:19:18,000
crime syndicate with defendant's Pelotae Valdez and other individuals. Plaintiffs

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00:19:18,000 --> 00:19:21,039
attempted to make a conversation with defending Alena in which

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00:19:21,039 --> 00:19:23,720
he admitted she was the same person who plaintiffs had

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00:19:23,759 --> 00:19:28,200
met with previously. Defending Jaguar aggravated, stated, you let them

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00:19:28,240 --> 00:19:31,799
know who you are. That's really great. Plaintiffs noticed defendant

335
00:19:31,839 --> 00:19:34,480
had a large brown bag and Manila envelopes full of

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00:19:34,480 --> 00:19:37,759
cash that was banded. It appeared they were separating large

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00:19:37,799 --> 00:19:40,799
sums of cash to distribute as they were placing cash

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00:19:40,839 --> 00:19:45,519
into Manila envelopes. Defending Jaguar discussed that defendant Alena how

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00:19:45,559 --> 00:19:49,240
the party started the first black owned network upon information

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00:19:49,319 --> 00:19:52,039
and belief. Plaintiffs believe the network to be Revolt TV.

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00:19:52,960 --> 00:19:56,759
Defending Jaguar and defend on Helena discuss the other co conspirators,

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00:19:57,039 --> 00:20:01,319
but referred to them by their middle names Natasha defending Pedro,

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00:20:01,440 --> 00:20:07,240
defendant Gonzales, Lira defendant Valdez, Cornelius defendant Odell, and Larry

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00:20:07,359 --> 00:20:13,000
shortened for Lawrence defendant Peltier. The defendant Jaguar said Cornelius

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00:20:13,039 --> 00:20:16,039
is upset Defendant Helena, who said that defendants O'Dell and

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00:20:16,079 --> 00:20:19,240
Drewski were her clients and nothing better happened to them

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00:20:19,559 --> 00:20:22,160
and plaintiff better not say anything about them or she

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00:20:22,160 --> 00:20:26,319
would have plaintiffs killed. Defendant Jaguar then told plaintiffs they

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00:20:26,319 --> 00:20:29,599
were being taken to meet John. Plaintiffs now know that

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00:20:29,759 --> 00:20:34,119
was referring to defendant Diddy. When defendants arrived at plaintiff

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00:20:34,519 --> 00:20:37,559
at the Loma Vista location, it appeared as they were

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00:20:37,640 --> 00:20:42,160
waiting and coordinating for others to arrive. A large sedan

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00:20:42,279 --> 00:20:45,640
arrived and plaintiffs were placed in the back with defendant Valdez.

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00:20:45,839 --> 00:20:50,000
Defendant Pelte was driving. Plaintiffs then arrived at a short

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00:20:50,079 --> 00:20:54,880
driveway or curb. Plaintiff remembers looking for intersecting street signs

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00:20:54,880 --> 00:20:58,240
at this location and found redacted, a dead end street

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00:20:58,279 --> 00:21:01,680
off of the Loma Vista Drive. Plaintiff John Doe repeated

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00:21:01,680 --> 00:21:04,119
the name of the street to himself so he remembered

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00:21:04,240 --> 00:21:06,839
and was able to whisper into Jane Doe's ear to

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00:21:06,920 --> 00:21:12,279
remember the intersecting street name redacted. Plaintiff believed that this

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00:21:12,480 --> 00:21:14,839
was a home that they would be murdered in and

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00:21:14,960 --> 00:21:18,680
tried to devise a plan for escape. Plaintiffs were brought

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into the house and into the kitchen, where they were

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00:21:20,920 --> 00:21:24,839
watched by defending Gonzales. Plaintiff repeated, there are pleased to

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00:21:24,880 --> 00:21:28,079
defending Gonzales to be released and for mercy, which you replied,

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00:21:28,240 --> 00:21:31,079
there's nothing he can do. Plaintiffs could hear other people

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00:21:31,079 --> 00:21:33,640
inside the home and tried to listen to understand what

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00:21:33,720 --> 00:21:37,839
was happening, which included a woman's scream. Eventually, plaintiffs were

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00:21:37,880 --> 00:21:41,160
led deeper into the home, where they encountered more individuals,

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00:21:41,160 --> 00:21:44,599
including defending Diddy. All right, we're gonna wrap up right here,

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00:21:44,720 --> 00:21:46,880
and in the next episode, we're gonna pick up where

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00:21:46,880 --> 00:21:49,720
we left off. If you'd like to contact me, you

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00:21:49,720 --> 00:21:52,519
can do that at Bobby Kapuchi at Protonmeil dot com.

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00:21:52,599 --> 00:21:57,839
That's bobb Y c ap u Cci at protonmeil dot com,

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00:21:57,960 --> 00:21:59,680
or if you prefer, you can find me on x

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00:22:00,079 --> 00:22:02,799
at b O B b Y underscore C A p

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00:22:03,319 --> 00:22:05,440
U C C I. All of the links that we

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discussed can be found in the description box.

