The Anatomy of Public Corruption

OBIT: Pasi M. Hamalainen / Former PIMCO Executive dead at 46

Former PIMCO Executive and peer of Mr. Hamalainen

Consumer of FICO data, records, analytics developed the brother of US Attorney Thomas Wales. Long term employee of Fair Isaacs



The Murder of US Attorney Thomas Wales



Pasi Hamalainen
Pasi M. Hamalainen, a gifted financial executive, devoted father and cultivator of many long-term friendships, died in his sleep on Jan. 16 at his home in Manhattan Beach, Calif. He was 46. Though he came from modest beginnings in Finland, Hamalainen earned an Ivy League education and parlayed it into a stellar career with Pacific Investment Management Co. (PIMCO), one of the world's largest asset-management firms. He rose through the ranks to become a managing director and director of global risk oversight, helping the company amass $2 trillion in assets. All the while Hamalainen lived by two iron credos: once you were his friend you were "a friend for life"; and he insisted on "nothing but the best." He possessed an engineer's fascination with precision instruments, from watches to sound systems to airplanes to very fast cars. An audiophile with a keen ear, Hamalainen built an oceanfront house in Manhattan Beach and equipped it with a vacuum-tube stereo system that turned his home into an approximation of a concert hall. His constantly evolving car collection included BMW's, Aston Martins, Bentleys and a Bugatti Grand Sport Vitesse. He loved to drive the snaking roads of the Los Angeles canyons, and with his Bugatti he set a staggering record of 230.6 miles per hour at the Sun Valley Road Rally last year. Though he enjoyed his toys, success for Hamalainen was not measured in money or possessions. He was generous with friends and family, and toward causes he regarded as worthy. He was also known for his unique sense of humor. He departed PIMCO in 2008 after 14 years with the company, and the next year his wife, Dr. Carey Cullinane, gave birth to their son, Logan Patrick. Retirement gave Hamalainen the freedom to travel the world. It also introduced him to the joys of fatherhood. "This last year Pasi was so happy," said his brother, Janne Hamalainen. "He was able to spend more time with his son, which was the most important thing by far to him. One of their favorite things to do together was play with toy planes - my brother was typically the air-traffic controller and Logan was the pilot - and they had a great bond." In 2012 Hamalainen joined the Capital Group, a Los Angeles-based investment management firm, as a fixed-income portfolio manager. He was also busy with a variety of philanthropic endeavors. He endowed a professorship at his alma mater, the University of Pennsylvania, and he joined the Advisory Board of the Jacobs Levy Center for Quantitative Financial Research at the university's Wharton School. He and his former wife, Dr. Cullinane, an oncologist, also endowed the Hamalainen Post-Doctoral Fellowship at the Stanford University Medical Center. Pasi Matti Hamalainen was born in Helsinki on May 18, 1967, where his father was a sportswriter and his mother was an elementary school.  His mother, Raili, had competed twice with the Finnish national gymnastics team in the Olympics. The marriage ended in divorce in 1969 and Raili raised her two sons in the town of Tampere, where they briefly attended the Tampere University of Technology. Janne went on to study electrical engineering at the University of Tulsa, and Pasi, after a two-year stint as a pilot in the Finnish Air Force, won a scholarship to the University of Pennsylvania. There he competed on the track team and completed a rigorous five-year program in just four years, earning dual bachelor's degrees in engineering and economics. He went directly into the Ph.D. program at the university's Wharton School, but left to join PIMCO in 1994 after earning a master's degree in finance. As a student at Penn, Hamalainen served as a research assistant for the professors Donald Keim and Ananth Madhavan, both of whom became life-long friends. Together they produced papers on such lofty topics as "The Upstairs Market for Large-Block Transactions: Analysis and Measurement of Price Effects." "Pasi was the guy who had the technical skills and the smarts to crack the data - load it, parse it, interpret it," says Madhavan, a native of India. "The guy was brilliant. But the thing that was important to him in his life were his friends. He was very close to the group at Wharton, and they remained friends. That's very Finnish." "He was very, very bright," adds Keim. "Very serious, very quiet, but always thinking things through. Everything he said was very measured, very precise. And once he became your friend, he was always a true friend." In lieu of flowers, donations in honor of Pasi Hamalainen may be sent via the Pasi Hamalainen Memorial Fund. - http://pasihamalainenmemorialfund.mydagsite.com 
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Bladenboro Lynching

El Blanco Investigations

Bladenboro NC



Lynching Network 


  1. Teen's death brings up painful past in South

    Yahoo News-Dec 3, 2014
    29, Lennon Lacy, a 17-year-old African-American high school football player from BladenboroN.C., was found dead in the open field of a mobile home park, ...

  2. FBI probes NC teen's death after suicide ruling questioned

    CBS News-Dec 12, 2014
    BLADENBORON.C. - The FBI is looking into the death of a black teen after his family questioned the official ruling that the young man found ...

  3. Lennon Lacy: North Carolina Lawmakers Urged To Join Call For ...

    International Business Times-Dec 11, 2014Share
    A swing set, similar to one in BladenboroNorth Carolina, where Lennon ... a march through the streets of Blandenboro, N.C., Lacy's hometown.
    March Saturday to honor Lennon Lacy
    The Independent Weekly-Dec 11, 2014
    Explore in depth (4 more articles)

  4. FBI looking into NC teen's hanging death

    WCNC-21 hours ago
    BLADENBORON.C. (AP) - The FBI is looking into the death of a black North Carolina teen after his family questioned the official ruling the ...

  5. FBI investigating hanging death of black teen in North Carolina

    The Denver Post-13 hours ago
    Claudia Lacy, center, thanks the people who showed up at First Baptist Church in BladenboroN.C., to listen to the Rev. William Barber ...


Contra Costa Look The Other Way Lynching Committees 

1986-11-02 Timothy Lee Concord CA

1986 Tahnjah Poe Concord CA

Racial Friction in Concord : Lynching or Suicide? A City Is Gripped by Tension

February 11, 1986|MARK A. STEIN | Times Staff Writer

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CONCORD, Calif. — High-rise office towers sprout like asparagus shoots near the Bay Area Rapid Transit depot here, symbols of the transformation of this sleepy working-class San Francisco suburb into a paragon of the post-industrial city.
But that shining reputation has lately been tarnished by allegations of racial disharmony, knifings and murder--a brutal if familiar byproduct, some people here say, of the very urbanization that is putting Concord back on its feet.

The most grisly event occurred last Nov. 2, in a vacant lot near one of the new office towers adjoining the BART station. On that mud-caked piece of land, an off-duty security guard found the body of a young black man hanging from the branch of an old fig tree.
Police ruled the man's death a suicide. But local black leaders and some white residents are convinced that 23-year-old Timothy Charles Lee was lynched--perhaps by a splinter of the Ku Klux Klan.
After studying the circumstances surrounding Lee's death, chapters of the National Assn. for the Advancement of Colored People in surrounding communities persuaded the FBI to investigate. They also made Lee's death the focus of a regional NAACP "racial intolerance task force" studying the growth of racist organizations in California.
As either a lynching or suicide, Lee's death--coming not 12 hours after a pair of white-robed white men knifed two black teen-agers a few blocks away--has touched off an ugly controversy in what was recently lauded as one of the least stressful cities in the nation.
City officials and a number of civic leaders vigorously deny that racism is more of a problem among Concord's 100,000 residents than in any other mid-sized American city with a relatively small (less than 2%) minority of blacks.
But a number of residents--black and white--disagree.
"There is a definite strain," said Tahnjah Poe, a young black woman who moved out of Concord last October because of the harassment she said she and her son suffered at the hands of some local whites.
"It's not the complacent city that city officials want you to think it is. There is a nasty little undercurrent. Certain parts of Concord are like a hick town, but the city doesn't want anyone to know about it."
That assessment is shared by others, such as William Callison, a white man who told police he received an anonymous threatening telephone call after he went to the FBI and challenged the coroner's conclusion that Lee had committed suicide.
"It's a place where the city meets the country," he said. "You have some very rural-type people, and then you have people coming out from the big city. There's friction; some people who are unable to adjust, to put it politely."
'A Lot of Racism'
He paused, then put it more bluntly: "There's a lot of racism in Concord. It's not right on the surface but it's not too deeply buried, either." 
Hawley Holmes, staff organizer for the city's 2-month-old Human Relations Subcommittee, acknowledged that "certain levels of socioeconomic strata" are responsible for many of the city's racial incidents.
She hastened to add that the city thinks there is no evidence of activity by the klan or any other organized hate group and no reason to doubt a conclusion of suicide in the case of Timothy Lee.
The suspects in the Nov. 2 stabbings that preceded Lee's death contend that their white robes, with accurate Klan markings, were merely costumes worn to a Halloween party. The existence of such a party has not been established.
Contra Costa County has a history of sporadic racial incidents, although it has seen fewer klan-related events than San Bernardino County, the San Joaquin Valley or other areas in the state, according to the Anti-Defamation League of B'nai B'rith.
However, even those incidents that did occur--vandalism, harassing phone calls, taunts and broken windows--drew little public notice until after the incidents of Nov. 2.
Had Won Study Grant
Lee had left his San Francisco job that day happy and hopeful, friends and co-workers said. He worked part time in a fabric design store while taking classes at the San Francisco Academy of Art; he had recently won a grant to study fashion design in Italy.
Friends speculate that after leaving work, Lee visited several bars in town, a position supported by the .13% level of alcohol later found in his blood. (A level of .10% is the legal criterion for drunk driving.) After socializing for several hours, Lee boarded a BART train for the 15-mile ride home to Berkeley.
On the train, however, he fell asleep and missed his stop. He did not awaken until 1 a.m., when the train reached the end of the line, 25 miles down the track in Concord. He then discovered that he had missed the final train of the night back to Berkeley. He was stranded.
Lee relayed this story to several friends he called in a fruitless attempt to find someone with a car who could pick him up. It was the last time any of them would hear from him.

 Nov 24, 2001 - Concord Newhall Park Concord CA

Concord police believe a 47-year-old transient pulled dead from a creek in Newhall Park drowned after falling in.
A neighborhood resident pulled the man from the water at about 5 p.m. yesterday. Police and paramedics arrived minutes later and rushed the man to John Muir Medical Center, where a doctor pronounced him dead.
The resident told police he had seen the man in the creek earlier in the day and told him to get out of the water, police said. The resident told investigators the transient was alert but may have been drunk, said police Lt. Keith Whitaker.
The resident said he returned about 5 p.m. to check on the transient and found him lying in the water, Whitaker said.
Police withheld the man's identity but said he was a transient often seen in the area.

Section Five - Police Reports

THIS PAGE INTENTIONALLY LEFT "EL BLANCO" TO OBSTRUCT JUSTICE


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Fremont Capital Group - The Mormon Arsonist Connection

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http://www.nbcbayarea.com/news/local/Attorneys-Suggest-Evidence-Isnt-Safe-at-CPUC-Amid-Federal-Investigation-279510462.html

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OBIT: Kristie Verra Jean Atwater Dec 14, 2008

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The amazing coincidence was running into one of her family members hundreds of miles afield from my former neighbor from Cameo Drive Danville CA.  I simply asked how is ... the answer was she died of unexplained death.  

That was Grad Month Chico State but before I knew about Councilman Pollacek but after Shimansky and Bell (death occurred summer 2013) was another death, not your everyday death, inconclusive and untimely.  



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CASE NO.: COMPLAINT FOR DAMAGES FOR ASSAULT, BATTERY, FALSE IMPRISONMENT, TRESPASS TO REAL PROPERTY, TRESPASS TO PERSONAL PROPERTY, CONVERSION AND INTENTIONAL INFLICTION OF EMOTIONAL DISTRESS

The Witness Murders of Contra Costa County

The Convicts and Felons

Connecting Paul Pelosi to GaganMcCoy to a long list of attempts on Pete Bennett's life.

The Couples Unbelievable

The Power Couples and Pete Bennett

Pelosi hired an attorney connected to a law firm that represented Dr. Kim Fang of Alamo CA. Dr. Fang sued Bennett in 1987 where his witness was murdered in 2000 then Fang while being represented Attorney William Gagen was murdered. The home invasion robbery brought Contra Costa Sherrif Deputies to my door. Guilt by litigation. A few years later or less the witness intimidation began.




Peter Bennett
PO Box 523
Alamo  CA  94507
Telephone:       (925) 705-1812
Facsimile:        (000) 000-0000

In Pro Per




SUPERIOR COURT OF THE STATE OF CALIFORNIA

COUNTY OF CONTRA COSTA-UNLIMITED JURISDICTION

PETE BENNETT

                            Plaintiff,     
              v.

GARY COLLINS, and DOES 1-20, inclusive,

                            Defendants.

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CASE NO.: 

COMPLAINT FOR DAMAGES FOR ASSAULT, BATTERY, FALSE IMPRISONMENT, TRESPASS TO REAL PROPERTY, TRESPASS TO PERSONAL PROPERTY, CONVERSION AND INTENTIONAL INFLICTION OF EMOTIONAL DISTRESS


           
Plaintiff alleges:
GENERAL ALLEGATIONS
1. Defendant Gary Collins is an individual.  Plaintiff Pete Bennett is informed and believes that, at all times herein mentioned, defendant Gary Collins was a resident of Contra Costa CountyCalifornia.
2. Defendants Doe 1 through Doe 20, inclusive, are sued herein under fictitious names. Their true names and capacities are unknown to plaintiff. When their true names and capacities are ascertained, plaintiff will amend this complaint by inserting their true names and capacities herein.  Plaintiff is informed and believes and thereon alleges that each of the fictitiously named defendants is responsible in some manner for the occurrences herein alleged, and that plaintiff's damages as herein alleged were proximately caused by those defendants. Each reference in this complaint to ''defendant,'' ''defendants,'' or a specifically named defendant refers also to all defendants sued under fictitious names.
3. Plaintiff is informed and believes and thereon alleges that at all times herein mentioned each of the defendants, including all defendants sued under fictitious names, was the agent and employee of each of the remaining defendants, and in doing the things hereinafter alleged, was acting within the course and scope of this agency and employment.

FIRST CAUSE OF ACTION
(Assault)
4. Plaintiff incorporates paragraphs 1 through 3 this Complaint as if the same were fully stated herein.
5. On or about September 21, 2004, defendant Gary Collins came to plaintiff Pete Bennett’s residence at  161 Valle Vista Drive in  Danville,  California .  Defendant Gary Collins menacingly approached and yelled threatening and offensive words at plaintiff, including threats of death and bodily harm.  Further, defendant Gary Collins attempted to strike and did, in fact, strike plaintiff, thereby inflicting bodily harm upon plaintiff.
6. In doing the acts as alleged above, defendant intended to cause plaintiff an apprehension of a harmful or an offensive contact with plaintiff's person.
7. As a result of defendant's acts as alleged above, plaintiff, in fact, was placed in great apprehension of a harmful contact with plaintiff's person.
8. At no time did plaintiff consent to any of the acts of defendant alleged above.
9. As a proximate result of the acts of defendant as alleged above, plaintiff suffered physical injuries to his elbow, shoulder, arm, knee, leg and chest.
10. As a proximate result of the acts of defendant as alleged above, plaintiff was hurt and injured in his health, strength, and activity, sustaining injury to his nervous system and person, all of which have caused, and continue to cause, plaintiff great mental, physical, and nervous pain and suffering.  As a result of these injuries, plaintiff has suffered general damages.
11. As a further proximate result of defendant's acts, plaintiff has been damaged in that he has been required to expend money and incur obligations for medical services and treatment reasonably required in the treatment and relief of the injuries herein alleged.
12. As a further proximate result of the acts of defendant, plaintiff has incurred medical and related expenses.
13. Plaintiff is informed and believes that, as a further proximate result of the acts of defendant, plaintiff will continue to incur medical and related expenses.
14. As a further proximate result of the acts of defendant, plaintiff was prevented from participating in his usual occupation and thereby lost earnings to his damage.
15. Plaintiff is informed and believes that, as a further proximate result of the acts of defendant, plaintiff's present and future earning capacity has been impaired.
16. The aforementioned conduct of defendant was willful and malicious and was intended to oppress and cause injury to plaintiff. Plaintiff is therefore entitled to an award of punitive damages.

SECOND CAUSE OF ACTION
(Battery)
17. Plaintiff incorporates paragraphs 1 through 3 and 8 through 16 of this Complaint as if the same were fully stated herein.
18. On or about September 21, 2004, defendant Gary Collins came to plaintiff Pete Bennett’s residence at 161 Valle Vista Drive in  Danville,  California .  Defendant Gary Collins struck plaintiff with his hands on multiple occasions and threw plaintiff to the ground.  Defendant Gary Collins pinned plaintiff to the ground by pressing his knees into plaintiff’s chest while plaintiff was on his back on the ground. 
19. In doing the acts as alleged above, defendant acted with the intent to make a contact with plaintiff's person.

THIRD CAUSE OF ACTION
(False Imprisonment)
20. Plaintiff incorporates paragraphs 1 through 3 and 9 through 16 of this Complaint as if the same were fully stated herein.
            21. On or about September 21, 2004, defendant Gary Collins used physical force and threats of violence, including death threats, to confine plaintiff for a period of time, against his will and without his consent.  Following this period of detention, defendant released plaintiff without charging him with any crime or taking him before a magistrate.
            22. Immediately prior to the acts of defendant herein alleged, plaintiff had been peacefully working in the study in his residence, located at  161 Valle Vista Drive in  Danville,  California .
            23. Plaintiff did not steal, nor was he in the process of stealing, any property belonging to defendant or anyone else, nor had he committed any crime against defendant or anyone else.
            24. In imprisoning plaintiff, defendant acted with deliberate malice and for the purpose of harassing plaintiff and causing plaintiff physical and emotional harm.

FOURTH CAUSE OF ACTION
(Trespass to Real Property)
25. Plaintiff incorporates paragraphs 1 through 3 and 9 through 16 of this Complaint as if the same were fully stated herein.
26. On or about September 21, 2004, defendant Gary Collins intentionally entered a residence located at 161 Valle Vista Drive in  Danville,  California  of which plaintiff is the occupant and possessor.
27. Plaintiff did not give defendant permission for the entry and, in fact, defendant entered plaintiff’s residence despite plaintiff’s explicit demands for defendant to leave.

FIFTH CAUSE OF ACTION
(Trespass to Personal Property)
28. Plaintiff incorporates paragraphs 1 through 3 of this Complaint as if the same were fully stated herein.
29. On or about September 21, 2004, defendant Gary Collins, without plaintiff's consent, threw plaintiff into an antique table owned by plaintiff.
            30. In doing the acts above, defendant proximately caused damage to said table.  Plaintiff is informed and believes that the cost to replace or repair said table is approximately $400.00.
31. The aforementioned conduct of defendant was willful and malicious and was intended to oppress plaintiff. Plaintiff is therefore entitled to an award of punitive damages.

SIXTH CAUSE OF ACTION
(Conversion)
            32. Plaintiff incorporates paragraphs 1 through 3 of this Complaint as if the same were fully stated herein.
            33. At all times herein mentioned, and in particular on or about September 21, 2004, plaintiff was, and still is, the owner and was, and still is, entitled to the possession of the following personal property, namely: an antique table. 
34. Plaintiff is informed and believes that on or about September 21, 2004 and at  161 Valle Vista Drive in DanvilleCalifornia , the property described above had an approximate value of $400.00.
            35. On or about September 21, 2004, defendant Gary Collins, without plaintiff’s consent, intentionally damaged said antique table by throwing plaintiff into it, all to plaintiff’s detriment.
            36. The aforementioned conduct of defendant was willful and malicious and was intended to oppress plaintiff. Plaintiff is therefore entitled to an award of punitive damages.

SEVENTH CAUSE OF ACTION
(Intentional Infliction Emotional Distress)
37. Plaintiff incorporates paragraphs 1 through 36 of this Complaint as if the same were fully stated herein.
38.  Defendant’s actions of physically attacking plaintiff, verbally intimidating plaintiff, damaging plaintiff’s personal property and trespassing on plaintiff’s real property, as alleged in this Complaint, were knowing, intentional, and willful, and done with a reckless disregard of the probability of causing plaintiff emotional distress.
39.  As a proximate result of defendant’s conduct, as alleged in this complaint, plaintiff suffered severe mental anguish and emotional and physical distress, all to his general damages.
            40. In acting in the manner described in this Complaint, defendant’s conduct was malicious and oppressive, and was carried out in willful and conscious disregard of plaintiff’s rights and safety and subjected plaintiff to cruel and unjust hardship.
PRAYER FOR RELIEF
            WHEREFORE, plaintiff Pete Bennett demands against defendants, and each of them, as follows:
1. For general damages according to proof;
2. For medical and related expenses according to proof;
3. For lost earnings, past and future, according to proof;
4. For punitive damages;
5. For interest as allowed by law;
6. For costs of suit herein incurred; and
7. For such other and further relief as the court may deem proper.

Dated:                                                                        


                                                                                    ________________________
                                                                                    Peter Bennett
                                                                                    In Pro Per
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