Låt oss kolla hur Olof blåser gamlingar.
Detta åtal är det största mot Olof. Det finns två relaterade fall och bara de relaterade fallen uppgår till 405 sidor.
Alla dokument sammanlagda är ungefär 1,837 sidor totalt. Att begära ut denna mängd papper skulle kosta tusentals kronor. De jobbar hårt med att utreda Olof där borta i Kalifornien med andra ord.
De blåste gamlingar på sitt hus i Compton där bland annat en mentalt handikappad 82-åring bodde.
Nedan följer utdrag från stämningsansökan som lämnats in 19 Februari, 2019. Jag har laddat upp hela
PDF på 46 sidor så Olofs fanclub kan läsa här:
https://www.docdroid.net/XbS5s92/blasa-gamlingar-pdf
Case Number: 19STCV05791
Case Title: LESTER S. LEWIS VS UNICITIZENS FINANCIAL INC., A CORPORATION, ET AL.
Filing Date: 02/19/2019
Citat:
LESTER S. LEWIS,
Plaintiff,
-vs-
UNICITIZENS FINANCIAL INC., a corporation; ADENHEIM, INC., a corporation; ROSE ESCROW, INC., a corporation; REO GROUP, INC., a corporation; TRIPLETT HOMES, LLC., a limited liability company; AXIS MEDIA, a corporation; SHOBERT VARTAN, a.k.a. SEAN V. THOMAS, an individual; OLOF GUSTAFSSON, an individual; DANIEL DAVID REITBERG, an individual; ALAN MENDELSON, an individual; CARMEN MARTIR, an individual; and DOES 1 through 100, inclusive,
Defendants.
COMPLAINT FOR DAMAGES
1. Negligence
2. Deceit [Civil Code §§1709, 1710]
3. Fraud
4. Elder and Dependent Adult Abuse
5. Violaion of Real Estate Settlement Procedures Act
6. Intentional or Reckless Infliction of Emotional Distress;
7. Unfair Business Practice [Business & Professions Code §17200]
8. Unfair Business Practices [Civil Code §1770]
9. Cancellation/Rescission of Documents
10. Quiet Title
11. Declaratory Relief
Citat:
What Is Elder or Dependent Adult Abuse?
Abuse of an elder or a dependent adult is abuse of:
Someone 65 years old or older; or
A dependent adult, who is someone between 18 and 64 that has certain mental or physical disabilities 
that keep him or her from being able to do normal activities or protect himself or herself.
Citat:
4. Defendant ADENHEIM, INC. is and at all times herein mentioned was a corporation or other business entity organized and existing under the laws of the State of California and having its principal place of business in Los Angeles County, California. Plaintiff is informed and belives and thereon alleged that ADENHEIM, INC. is the successor in interest and/or has carried on the business of Adenheim Home Loans after the formal dissolution of that business, and has carried out the out the affairs of Adenheim Home Loans under the name of ADENHEIM, INC.
Citat:
9. Defendant OLOF GUSTAFSSON is an individual residing in the State of California, County of Los Angeles, and is the CEO and managing officer of ADENHEIM, INC. and its predecessor Adenheim Home Loans. Plaintiff is informed and believes that OLOF GUSTAFSSON controlled, managed, directed, hired, retained and supervised the activities and acts of ADENHEIM, INC. and its predecesor Adenheim Home Loans and their agents and employees, and is negligently or otherwise responsible for the acts and omissions of said entities and/or persons as herein alleged.
Citat:
18. Said defendants further knew at all times and in the exercise of reasonable care Should have known that many of its prospective customers, including plaintiff, are the subject of elder abuse financial predation (i.e., financial abuse within the meaning of Welfare and Institutions Code §15610.30), and that many of the secured loans made, brokered, arranged and promoted by defendants carried terms which the borrowers could not afford and which would likely result in foreclosure and the loss of residences, life savings, and property essential for the support of the borrowers and their families, and further knew that far better alternatives, and far cheaper loans and financial alternatives, are available to borrowers, if indeed the borrowers need any loans at all.
Citat:
22. Plaintiff Lester Lewis is age 68 and the owner of a home (hereafter "the residence") at 1122 S. Exmoor Ave, Compton, California, where he resides with his wife Gwendolyn Lewis. At the time of the events herein complained of, Plaintiff was the guardian of, and held a power of attorney from, his 82-year old mentally ill Aunt Millie, who resides with him in the Compton residence.
23. At the time of the events herein complained of, the residence had a value of approximately $350,000. Plaintiff's title was subject only to a note secured by deed of trust in the original amount of $35,000, owed to Plaintiff's brother Donnie Lewis, and a purchase mortgage to Stunzo Development Corp. in the principal sum of $79,600 with 10.5% annual interest and a monthly mortgage payment of approximately $754.00.
Citat:
35. As a result of the representations and acts of defendants as above described, Plaintiff's residence is now encumbered by a mortgage in the principal sum of $180,000, carrying interest at the rate of 12% per annum and requiring interest payments of $1,800 per month for 23 months and a balloon payment of $181,800 on April 1, 2019.
Citat:
39. In doing the aforesaid acts, Defendants UNICITIZENS FINANCIAL, INC., SHORBERT VARTAN, DANIEL DAVID REITBERG, ADENHEIM, INC., OLOF GUSTAFSSON, ROSE ESCROW, INC., REO GROUP, INC. CARMEN MARTIR and Does 1 through 90, and in procuring, facilitating, financing, making, assisting, aiding and abetting said transfers, loan, mortgage and documentation, and in making representations related thereto, and in employing agents and employees and directing and controlling their actions and practices, defendants acted negligently, carelessly, recklessly and tortiously, and acted in an unprofessional, unworkmanlike, and unskilled manner, in disregard of Plaintiff's age, lack of financial sophistication and vulnerability, of which they were aware, and in disregard of evidence that such transactions were unsuitable and likely to injure plaintiff.
Citat:
51. As a further direct and proximate result thereof, Plaintiff sustained the type of distress a normal person would experience when treated in a like manner, and suffered severe pain, discomfort, anxiety, humiliation, physical and emotional distress in an amount within the jurisdiction of this Court and according to proof at time of trial.