ID 4 - Carlo Parlanti’s Case
No. Case: 2002026651
Ventura County, CA
For the Attention of the Attorney General of the State of California
Sheriff Department of Ventura County, California
Ventura County District Attorney
Monterey Bay, District Attorney
GAO
In Copy Italian Consulate in the State of California
E p.c.S.E. Foreign Minister – Franco Frattini
COMPLAINT
Katia Anedda, born in Wiesbaden (Germany) on the 26 February 1967 (NDDKTA67B66Z112Y), residing in Eboli (SA) Via U. Nobile 14 c/o Avv.ti Franco Cardiello and Costantino Cardiello, of whom she is represented. Acting as General Attorney in virtue of the notorial act no. 247/2008 lodged with the Italian Consulate and the form A 250 General Power of Attorney dated March 20th, 2006 public notary deed drawn by Philip Durante Comm. 1625780 by Mr. Carlo Parlanti, born in Montecatini Terme on 1st November 1964 and at this moment detained at the 2nd level State Prison of Avenal (CA, U.S.A), declares as follows:
Mr. Carlo Parlanti, an Italian citizen who moved to the United States for work purposes was sentenced to nine years imprisonment for alleged rape.
The trial was based entirely on the statement of the alleged victim, Ms. Rebecca White who made use of false evidence which she had previously set up and on stories of facts that never took place.
The background of the entire proceedings is amply described in the report already sent by ordinary mail and again presented by Katia Anedda herself.
In the proceedings Miss Sandra Lavagnino also known as Sandra Philips a former girlfriend of Mr.Parlanti whom he had met when he lived in Monterey, CA, testified against him.
This report directs attention specifically to the features of the case that demonstrate a violation of the penal code of the United States.
At the hearing of the 13th December 2005 Sandra Lavagnini admits to blackmailing Carlo Parlanti threatening to report a crime to the police (puncturing the car tyres) of which there is no evidence of Mr.Parlanti having paid.
Miss Lavagnino testified that she had been psychologically forced to have violent and unusual sexual intercourse with Mr.Parlanti. From investigations Miss Lavagnino (Philips) was already a customer of a sexy shop in Fremont Street which is between Monterey and Seaside before going out with Mr.Parlanti. Miss Lavagnino/Philips threatened Mr.Parlanti on many occasions through her policemen brothers, and as witness to the fact of just how frightened Mr. Parlanti was is his former colleague, of whom we can provide details if and when necessary.
Miss Lavagnino testified that she had been persecuted by Mr.Parlanti to the extent that she requested a name change, and accuses him of Stalking her and of this further investigations must be made because if this crime does not exist it means that Miss Lavagnino lied for the purpose of receiving protection from the Federal government and the State of California and receiving economic benefits.
This complaint is made with the intention of prosecution for the crimes that the American Authorities will wish to consider completed by the exposition of the facts narrated, which require precise and immediate investigation. It must be said that there will be other complaints following this one to speed up the enquiries into any perpetration of other crimes, committed before, during and after the trial against Carlo Parlanti for the sole purpose of reaching a sentence of criminal responsibility founded on the distortion of facts.
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