← Autodidact Archive · Original Dissent · Ed Toner

Thread 8955

Thread ID: 8955 | Posts: 2 | Started: 2003-08-11

Wayback Archive


Ed Toner [OP]

2003-08-11 14:42 | User Profile

Morris Dees -- Child Molester, Pervert, and Liar? [url=http://www.zianet.com/wblase/endtimes/dees1.htm]http://www.zianet.com/wblase/endtimes/dees1.htm[/url] Morris Dees -- Child Molester, Pervert, and Liar? Part I


For the past several years, the Major Media has portrayed Morris Dees of the Southern Poverty Law Center as an "expert" on terrorism, militias, and the Patriot Movement.

Is Morris Dees a trustworthy and truthful source of information, on a subject so dear to the American people as their liberties?

Decide for yourself after reading the following court document. This was forwarded to me by email several years ago. I make no claim as to it's authenticity... Research the facts for yourself. I merely reproduce it here in the public interest. WEB


IN THE ALABAMA COURT OF CIVIL APPEALS

MAUREENE BASS DEES ) ) Appellant, ) ) -vs- ) CASE NO. CIV. 2114 ) MORRIS S. DEES, ) ) Appellee. )


            ON APPEAL FROM THE CIRCUIT COURT OF
                 MONTGOMERY COUNTY, ALABAMA

                                    ------------------
                                    BRIEF OF APPELLANT
                                    ------------------
                                            MAURY SMITH
                                            JULIA S. WATERS
                                            CHARLES M. CROOK
                                            Attorneys for the Appellant

OF COUNSEL: SMITH, BOWMAN, THAGARD, CROOK & CULPEPPER P.O. Box 78 Montgomery, Al 36101 Telephone: (205) 834-6500

                       ORAL ARGUMENT REQUESTED
                       ------------------------

                          TABLE OF CONTENTS
                                                            PAGE
                                                            ----

STATEMENT OF THE CASE ........................................ 4 THE ISSUES ................................................... 4 STATEMENT OF THE FACTS ....................................... 5 A. Morris' Financial Condition ........................... 5 B. The Cause Of The Breakup; Vicki Booker McGaha ......... 6 C. The Reconciliation .................................... 6 D. Morris Can't Give Up His Mistress ..................... 7 E. Maureene Is Compelled To Seek Divorce ................. 8 F. Morris Sets A Trap .................................... 9 G. Morris' Trap Works: The Hotel Room Agreement .......... 11 H. Morris' Sexual Appetite ............................... 12 A. Dianne Hicks ...................................... 12 B. Cathy Bennett ..................................... 12 C. Judith Rogers ..................................... 13 D. Deborah Levy ...................................... 13 E. Pamela Horowitz ................................... 13 F. Charlie Springman ................................. 14 G. Morris' Step-Daughter ............................. 14 H. Morris' Future Daughter-in-law .................... 15 ARGUMENT ..................................................... 15 A. The Trial Judge Plainly And Palpably Abused His Discretion ....................................... 15 1. The Conduct Of The Parties With Reference To The Cause Of Divorce ........................... 18 (a) Even If The Parties Were Equally At Fault, The Present Decree Is Indefensible ........ 20 2. The Source Of Their Property ...................... 20 3. The Parties' Standard Of Living During The Marriage And Their Potential For Maintaining Or Exceeding That Standard After Their Divorce ........................................... 22 4. The Financial Circumstances Of The Parties ........ 23 5. The Parties' Future Prospect ...................... 23 6. The Length Of The Marriage ........................ 24 B. Morris Dees' Entire Estate Has Been Used Regularly For The Common Benefit Of The Parties ................. 24 1. The Real Estate .................................... 26 2. Morris' Other Assets ............................... 27 1968 through 1975 ................................ 27 1975 ............................................. 29 1976 ............................................. 30 1977 ............................................. 30 1978 ............................................. 30 C. The Trial Court Erred In Prohibiting The Wife From Calling The Husband As A Witness ................. 30 CONCLUSION ................................................... 31 CERTIFICATE OF SERVICE ........................................

At the time of the divorce, Morris' net worth, based upon his own calculations, was $3,876,029 (R. 1252, et. seq; Def. Ex. 86-87; Stipulation, R. 231). His annual income exceeds $230,000 (Def. Ex. 76-79), of which more than $160,000 annually is derived from municipal bonds upon which Morris pays no income tax (Def. Ex. 28).

    B. The Cause Of The Break-up: Vicki Booker McGaha

Although Maureene was subjected to a number of degrading sexual episodes by Morris during the marriage which will be discussed hereafter, neither Morris nor Maureene ever wanted or sought a divorce................

Part 2 [url=http://www.zianet.com/wblase/endtimes/dees2.htm]http://www.zianet.com/wblase/endtimes/dees2.htm[/url] Morris Dees -- Child Molester, Pervert, and Liar? Part II


    H. Morris' Sexual Appetite

Maureene was literally force to file suit for divorce in March, 1979, because of Morris' obstinate refusal to give up his mistress who he was then supporting and who had become pregnant by him. However, Maureene did not give up her marriage easily. Prior to Morris' permanent involvement with the McGaha woman, Maureene had endured a long series of degrading incidents which evidenced Morris' voracious and eclectic sexual appetite. Since early in their marriage, Morris repeatedly bragged to Maureene that with his looks and his money he could have any woman he wanted, and he constantly bragged about women propositioning him (R. 350, et seq). [Some insight into the size of Morris' ego is provided by his letter of January 22, 1979, to "Ham" Jordan (a copy of which he sent to Vicki) in which he makes application ..................


The Skunk

2003-08-11 16:15 | User Profile

The SPLC was behind Waco and Ruby Ridge