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MC-030

ATTORNEY' OR PARTY WTHOUr ATTORNEY (Name, SlIt.. 8Mnumber, ami _ss): FOR COURT USE ONL Y
Angelica G. Hale, In Pro Per
-
3175 S. Sepulveda Blvd. #303
Los Angeles. CA 90034
TELEPHONE NO.: (310) 503-7717
FAX NO. (OpIlonaq.
FI LED
E-MAil ADORESS (Optional):
ATTORNEY FOR (Name):
In Pro Per
SUPERIOR COURT OF CALIFORNIA, COUNTY OF NAPA SEP 3 0 2011
STREET ADDRESS 825 Brown Street, First floor
MArUI> ADORESS: same
Clerk of thejapfttJ;iorJ2
rt
CITY AND ZIP CODE Napa, CA 94559
Sy: \ , 1 .i.
BRANCH NAME:
PLAINTIFF/PETITIONER: Lloyd 1. Vassell
DEFENDANT/RESPONDENT: Christian Angelo Vassell
CASE NUMBER:
DECLARAliON
2657190
Please see attached 83 pages of my declaration to contest the petition for conservatorship filed
by Lloyd 1. Vassell
HEARING: Petition for Conservatorship ofChristian Angelo Vassell
Hearing Date: OCTOBER 11, 2011
Time: 8:30 am
Location: ROOM A
Probate Court
I dedare under penalty of perjury under the laws of the State of Califomia that the foregoing is true and correct.
Date: 9/27/11
Angelica G. Hale
(TYPE OR PRINT NAME)
FormApprOVed for OIlConaJ Use
Judicial Counci al Galtomla veD
MC030 {Rev. January
(SIGNAlURE OF DECLARAJ'!q
o Attomey for D Plaintiff 0 Petitioner 0 Defendant
o Respondent 0 c.DtJ-rES'I(I}c;'"
IH Pl:TiT/l),j
DECLARA
SHORT TITLE:
- Petition for Limited Conservatorsip - Christian A. Vassell
CASE f'.lJMBER
MC-025
ATTACHMENT (Number): -'- _
(This Attachment may be used with any Judicial Council form.)
CONFIDENTIAL SUPPLEMENTAL INFORMAnON
Christian Vassell needs to be removed from his Napa residence due to isolation, violence in the household and
undue influence by his father (Lloyd Vassell) and stepmother (Lauren Vassell). I am his mother and instead of
having my Los Angeles residence as his residence of visitation, I am asking for Christian to live here
permanently or rule on an alternative suitable safe residence out of the Napa home. Christian's brother Taylor
Vassel! (20 yrs old with Aspergers) had an incident in the Napa home on May 21,2011 was beaten up by his
father after trying to defend Christian from threats and intimidation by his father. The police were called to the
incorrect address as the father would not disclose his new residence to me, resulting in a delayed emergency
police response and put both my sons at risk. As a result ofthe fight, his father came back to the bedroom and
threatened Taylor with a hammer in his hand and told him that if Taylor ever confronted him again (Taylor
was trying to protect Christian), that he would kill him with the hammer and bury him in the back yard. Taylor
is still suffering from believing that his father would indeed kill him. This is irreparable damage to Taylor and
Christian is not able to speak. up for himself or protect himself from intimidation and abuse by Lloyd Vassell
although Lloyd was ordered not to touch his sons after a May 2001 incident.
Although I have a court order allowing me access and information to anything relating to my 2 sons and their
welfare, I have not been afforded this due to my ex-husband continuing to lie about me and my relationship to
my children to friends, family, schools, doctors, agencies and selVice providers. This concern also includes
Lloyd Vassell's attempts to withhold my sons access to me, and me to them, due to a number of factors, but
most notably his inability to forget that I had a citizen's arrest against him in 1993 for kicking me when I was 6
months pregnant with Christian. This is one of the incidents that fuels his continued abusive behavior towards
me. He has only let up on his abusive behavior when it is in his best interests, such as when he had amassed
more than $25,000 in arrears in child support and I agreed to waive or exchange part ofthe balance. In 2005, I
worked with him to allow his support case to be closed. I did not have to do this, I could have chosen other
options if] wanted to torment him.
With this said, he has come after me using Placer County ness for child support arrears and filed a contempt
case against me, although he knows that I have been injured and not making money due to a driver hitting me
in an auto accident in March 2009. In 2008, we lost our business in Palm Springs, and relocated in 2009 to
Los Angeles due to my husband Melvin Hale receiving a PhD fellowship to UCLA.
All these years Lloyd has stated to everyone that I abandoned my sons and put them into foster care, and that I
moved away in a cavalier manner with my new husband to Virginia. The reality is that my husband lost his
lucrative job in Silicon Valley in January 1999, resulting in losing our home in Hercules, CA. The
REGIONAL CENTER offered to assist by offering us emergency respite while we secure a new home. This
was AFTER] asked Lloyd Vassell ifhe would assist with the children. He told me no. He was focused on
starting a new business.
(If the ifem that this Attachment ooncems is made under penalty of perjury, all statements in this
Attachment are made under penalty of perjury.)
Page of 5
(Add pages as required)
lI.TTlI.("UUC... T
SHORT TITLE:
- Petition for Limited Conservatorsip - Christian A. Vassell
CASE NUMIlER:
MC-025
ATTACHMENT (Numberj: -'- _
(This Attachment may be used with any Judicial CotmciJ form.)
CONFIDENTIAL SUPPLEMENTAL INFORMATION
After exhausting my communication with Lloyd, that is when the Regional Center offered the respite. We
were already getting in-home respite, so this would be Qut-of-horne respite and my sons would be able to
maintain their school placements. It took a lot of work and visits to transition to this situation without snags.
When Lloyd saw that there was money to care for the children, he immediately got substitution of payee for
the boys' SSI and waited until they were fmished with school, and he gal paid before taking them from
emergency respite to live with him in July 1999. Lloyd was involved in the affairs of my children, where they
went and when he would get them. Mae Alderson, owner of Alderson's Family Home in Pinole CA was their
caregiver and could tell you the truth. She did not like Lloyd's behavior towards me nor the children.
My husband was offered a job in Virginia. and after negotiations were completed., we found out that the
division (and the job) was being eliminated. We were left without a home (still) on the east coast, and received
assistance from the Salvation Army (SA). We Lived in SA Transitional Housing in Alexandria, VA for several
months in 1999. We eventually got back on our feet and as a result, ] was given an award by the SA for my
efforts, but Lloyd was not happy because he had the children, but he needed their SSI money to help him
survive as his business failed. He then sought to take custody of the children and open a support case against
me.
He immediately began a campaign to use the respite care situation against me, to defame me, and to get power
and control over me when I was in a weak position, just as he did in 1993 when he kicked me .and in 1996,
when I had to get a restraining order against him and I left the marriage permanently. He was abusing our
finances, and forged a credit card using his father's name to get additional credit. He was spending large sums
of money on custom made monogrammed clothing for himself from a tailor (with or without the card). while
me and the boys languished in near poverty. For example he bought a $300+ pair of Bostonian shoes with the
forged credit card. I have documents showing where would secure health coverage for himself, while the boys
and I would have none. I would show up at the hospital because Christian would get sick with his sickle cell
disease and then would be told that we had no coverage.
The stress and abuse was unbearable. When the marriage ended in 1996, I was a homemaker in charge of2
early intervention programs for both of my sons, who were both diagnosed as autistic at the time, one with
sickle cell disease. ] was left without reliable transportation nor any spousal support. Lloyd was removed
from the home and took the reliable car to the Bay Area. I also had to bring Christian to Oakland's Children's
Hospital every 3 weeks for blood transfusions for his sickle cell condition and made dozens of meetings,
doctors' appointments without reliable transportation. All of this and my ex-husband still continues to tonnent
me and his sons. He would not cooperate many times with the health professionals in giving Christian his
medications, or he would leave it behind instead of bringing it along for trips or visits. I always felt that he
was trying to sabotage Christian.
,
.
(If the item that this Attachment ooncems ;s made under penalty of petjury, af{ slatemeris in this
Attachment are made under pena/ry of perjury.)
Page 2 of 5
(Add pages 8S required)
MC-025
$HORTTlTLE:
- Petition for Limited Conservatorsip - Christian A. Vassell
ATTACHMENT (Number): -'--- _
(This Attachment may be used with any Judidal Council form.)
CONFIDENTIAL SUPPLEMENTAL INFORMAnON
I am just now hearing that Christian has not been followed regularly by ANY of his physicians!! His current
doctor would not release records to me because Lloyd did not include me as a party to have access (he has also
done this with all other care providers). The last time Dr. Quirolo ofChildren's Hospital Oakland saw
Christian was 5 years ago and his current physician at Harvest Pediatrics would only tell me that they have not
seen much of Christian, the last time being in November 2010 when he was in for a sick child visit. Christian
received a bone marrow transplant from his brother Taylor at Oakland's Children Hospital in 2002, and
although the procedure was successful, Christian STILL NEEDS TO HAVE FOLLOW UP FOR HIS IRON
LEVELS AND OTHER ISSUES UNLESS THE HOSPITAL SAYS ITS OK NOT TO BE FOLLOWED UP
ANY FURTHER. I attached the letter and chart info that Dr. Quirolo sent to me a couple of weeks ago when I
asked him ifhe would fill out the capacity declaration. He said he hadn't seen Christian in a long time and the
charts show that he was concerned about lack of follow up on Lloyd's part. This startled me. I believe that this
behavior on Lloyd's part should be counted as neglect. I believe that there are other areas of neglect that I am
still not privy to due to the fact that Lloyd has unilaterally shut me out ofthe infonnation contained in medical
and Regional Center files, even to the point that the Regional Center has participated in not disclosing records
to me and conveying confidential disclosures that I discuss with them regarding my concerns to the other party.
I have contacted DDS regarding my confidentiality and missing records concerns with my experiences with the
Regional Center, and DDS has told me that they are currently investigating this issue. Most recently, I was
allowed to attend Christian's IEP by phone on September 7, 2011, and Lloyd chose not to even bring Christian
to his own IEP, which is Christian's right to do because he has reached 18, the age of majority. Despite
Christian's absence, the IEP team was going ahead with the meeting until my husband and I asked about why
the meeting was being held without Christian. The IEP meeting was promptly adjourned. Lloyd said that he
"asked" Christian ifhe wanted to go to his IEP or to schooL My belief is that he withheld Christian because he
was continuing to isolate him from me. The professionals that Lloyd has surrounded himself with have failed
to critically assess Lloyd's actions, giving him cart blanche. The school district notified me that they would
reschedule the IEP without me because Christian stated that my "presence" was "not warranted." Christian
does not know the meaning of the word "presence" and 'lnot warranted." I am advocating for my son when
nobody else is doing so. I have always loved my children despite what anybody says. And now that my sons
are adults, Lloyd cannot control their lives any more.
I have filed a Contempt of Court case against Lloyd in Alameda County where the visitation order is filed.
Lloyd effectively refused to provide a point-by-point response to the 21 counts of contempt against him.
Instead, Lloyd responded with a declaration defaming my character, in which I have counted over 30 outright
lies. As an example, Lloyd stated to the Court that when he moved earlier this year from his house in
American Canyon that was foreclosed on, into a million dollar plus home in the Napa Valley Silverado
Country Club, that he provided me with his address and contact infonnation. This is patently untrue.
(fftM Item that this Attachment concerns is made under penalty of perjury, all statements in this
Attachment are made under penalty of perjury.)
Fo,m Aoo'O'Jed f", QpIional Use
Page 3 of 5
(Add pages as required)
/
MC-Jl25
SHORT TITLE:
r- Petition for Limited ConselVatorsip - Christian A. Vassell
(Add pages as required)
ATTACHMENT (Number): -'1 _
(This Attachment may be used with any Judicial Council form.)
CONFIDENTIAL SUPPLEMENTAL INFORMATION
A letter I wrote to Christian in March 2011 was returned, and the Post Office sticker placed on the letter
showing the new forwarding address was illegible, and I took it to read 350 81. Andrews Drive instead of 358
St. Andrews Drive. When I received a series of texts from Taylor on May 21, 2011, stating that his father had
almost killed him, I sent the Sheriff to the wrong address, as referenced in the Incident Report. Instead, in an
email Lloyd wrote to my husband on May 28, 201 I, Lloyd stated the following: "I DO NOT HAVE TO TELL
YOU ANYTHING REGARDING OUR LIVES. I CAN MOVE ANYWHERE WITHOUT YOUR
KNOWLEDGE AND PERMlSSION." That is NOT what Lloyd wrote to the Court in his Responsive
Declaration. To the Court Lloyd wrote: "I FULLY BELIEVE THAT MS. HALE KNEW WHY WE HAD
MOVED, TO WHERE, AND WHEN." If so, who told ME? Taylor did not. Neither did Lloyd, or anyone
else. Under oath, LLoyd is embellishing a boldfaced lie. The Sheriff lost precious time locating Lloyd's correct
address during an emergency for Christian and Taylor. They ended up having to call Taylor on his cell phone
to obtain it. Lloyd boasted that he didn't have to communicate with us, and he hasn't.lfl had been unconcerned
I would not even have had an address close by. I have done, and am doing, all in my power to look after the
well-being of my children. Lloyd's haughty and arrogant attitude, and his propensity to lie, are on full display
in his comments, noted above in CAPS. For this reason, Lloyd is unfit to be the sale guardian of Christian.
Lloyd recently (Sept. 11.2001) sent an email to me stating that Taylor is depressed and suicidal, and that
Taylor needs emergency care. The email did not contain a SUBJECT, and was sent to an obsolete email
address that I rarely check! For emergencies I have repeated told Lloyd to either call her or text her. The
attempt by Lloyd to document his concern for Taylor was facetious, self-serving and potentially dangerous.
Lloyd stubbornly refuses to call in an emergency. or to return calls placed to him or Christian. He has NEVER
returned a phone call left for Christian.
Lloyd's sordid history of physical and emotional abuse has driven Taylor from his home, and is operative in
isolating Christian from me, his mom. Last year (2010) Taylor sent an email in which he stated that both
Christian and he were being instructed by Lloyd and Lauren to caU me Angelica, and not mom anymore.
Taylor refused to go along with this, and as a result by standing by me, has had to endure a physical beat down
and expulsion from the Vassell home and the brother that he loves. In over three months, Taylor has only seen
Christian two times. This is abusive! I want Lloyd held accountable.
Angelica Hale
32 EXHIBITS
Exhibit # I - 1999, Salvation Army Transitional Housing
Exhibit # 2 - 2011, Lloyd's Contempt of Court Response, with notations by Melvin Hale for Taylor Vassell
Exhibit # 3 - 201 I, Letter from Dr. Quirolo, Children's Hospital, Oakland
Exhibit # 4 - 1994, Lloyd's credit card obtained by fraudulently using his father's name
Exhibit # 5 - 20 I I, Court filing in Alameda against Lloyd Vassen for Contempt of Court
Exhibit # 6 - 2011, Letter mailed to Christian Vassell from me returned with illegible address
Exhibit # 7 - 20II, Last known address for Lloyd Vassen
Exhibit # 8 - 201 I, Napa Sheriff Incident report, May 21, 201 I. Sent to wrong address by me
Exhibit # 9 - 201 I, Statement by Taylor Vassen regarding the nature of the fight with his dad, Lloyd Vassen
(If the item that this Attachment concerns is made under penalty of perjury, all statements in this Page 4 of 5
Attachment are made under penalty of perjury.)
.a
SHORT TITLE:
- Petition for Limited Conservatorsip - Christian A. Vassell
CASE NUMBER:
MC-Q25
ATTACHMENT (Number): -'-- _
(This Attachment may be IJsed with any Judicial Council form.)
CONFIDENTIAL SUPPLEMENTAL INFORMATION
Exhibit # 10 - 2011, Screen shots of Taylor's text messages on May 21, 2011 begging for my help
Exhibit # 11 - 2011, My email to Taylor explaining why I was no longer speaking to my parents
Exhibit # 12 - 2011, Taylor's text messages to me regarding concern for Christian BEFORE the fight
Exhibit # 13 - 1993, Me with Christian
Exhibit # 14 - 2004, Picking up Christian and Taylor from my parent's home in Fairfield
Exhibit # 15 - 2005, Email to Lloyd VasseLl from Angelica regarding him dropping off the boys on time
Exhibit # 16 - 2005, Me with Christian and Taylor at the State Fair in Sacramento
Exhibit # 17 - 2008, Pictures I took of Christian and Taylor on our trip to Six Flags in Vallejo
Exhibit # 18 - 2008, Picture of me, Melvin, Christian and Taylor at the State Fair in Sacramento
Exhibit # 19 - 2009, Me at Taylor's High School Graduation
Exhibit # 20 - 2010, Me visiting Christian at Taylor's birthday at Nora Jensen's house in Fair Oaks
Exhibit # 21 - 2011, Taylor visiting me and Melvin in Los Angeles
Exhibit # 22 - 2011, Taylor visiting me and Melvin in Los Angeles
Exhibit # 23 - 2011, Taylor visiting me and Melvin in Los Angeles
Exhibit # 24 - 2011, Lanternman Regional Center Training, Service Coordination Advocacy Training
Exhibit # 25 - 1999, Medical record ofTaylor in which Lloyd Vassell tells doctor that I placed our sons in
foster care, and he took them out. Same lie, 12 years ago.
Exhibit # 26 - 2011, Previous home lost to foreclosure in 2011, and current home lived in by Lloyd Vassell
Exhibit # 27 - 2011, Email sent to Melvin Hale by Lloyd Vassell in which he boasts that he need not give us
his new address or contact infonnation.
Exhibit # 28 - 2004, Clear evidence that Lloyd Vassell owed more than $25,000 in back child support to
me
Exhibit # 29 - 1993, Lloyd Vassell arrested for kicking me when] was 6 months pregnant with
Christian
Exhibit # 30 - 2001, Detention Report from Alameda County CPS, documenting that Lloyd was Ordered by
the Court to refrain from hitting the boys. The boys were placed in Children's Hospital for
protection. Lloyd violated this order when he beat up Taylor on May 21, 2011
Exhibit # 31 - 2011, The Nortb Bay Regional Center Report provided to the LA Superior Court in the
Conservatorship case which I filed. Viewed in the context of the preceding exhibits,
allegations made relative to my fitness to be a limited conservator of my son Christian,
are predicated upon falsehoods and lies, and not upon sound factual information,
beginning with the baseless allegation that I left my children in foster care and left the
state unbeknownst to Lloyd or anyone. The Regional Center paints me with a broad and
unflattering brush by claiming that "Angelica G. Hale is not actively involved in the life
of her son Christian Angelo VasseU, and has not seen him since the summer of2008."
The preceding exhibits clearly show otherwise, thus the Regional Center, unfortunately,
is NOT a credible resource in this case, as they have perjured themselves under oath.
Exhibit # 32 - 2011, Message left on my voice mail from Taylor on Friday, September 23, 2011 at 11:42 am.
Taylor was reacting to having just read Exhibit # 31 that he received at his grandparents
home in Fairfield where he is staying.
(Add pages as required)
(If the item that this Attachment concerns is made under penalty of perjury. all statements in this
Attachment are made under penalty of perjury.)
Page 5 of 5
Form APllfCNW fa" Optional Use
www,CO<JfIinfo,c..g<H

e..n...tmw
Transitional
Housing
The Salvation Army Transitional Housing units where we stayed in the summer of 1999
when the job promised to Melvin in Reston, Va was canceled due to the department
being eliminated before he could even start the job. Lloyd was fully aware of our dire
financial circumstances, yet he has told the public from the onset that I had abandoned
the children and placed them in foster care. This is patently false. A lie. We could not
provide a stable home. Period. That is not a crime, and it certainly does not make
someone a bad uncaring parent. Millions of American families are suffering similar
financial instability today. For Uoyd to try to find personal satisfaction in lying on me
under the circumstances is reprehensible. The fact of the matter is that we were
homeless. Thank God for the Salvation Army. They are the best that humans can
be.
We placed the children in Emergency Respite Care because Uoyd would not take them
when we left California. We were being eVicted in Hercules as a result of Melvin losing
his job as a Senior Product Manager in Milpitas. By the time we were back on our feet
financially, Christian was due to receive a bone marrow transplant from his brother
Taylor, after which, Christian was required to remain at home, away from crowds for a
year, until his immune system had recovered from this delicate surgery.
While we were in Transitional Housing, we lived downstairs in the building on the left.
The Salvation Army main address, across the street from these buildings is 1804
Mt. Vernon Avenue, Alexandria, VA. The SA case worker was named Susan Watson.
# 1

JU'l-28-2011 11:21A FRCI'1:1=R'C
12:26 7975288384
7072557597 P.1
FL320
ATTORNIOY OIl PARTY WITHOUT ATTOIII<Y _ ...1>41_.
Taylor,
Lloyd VasseJl
This is your father's response to your mother's Motion for
358 St. Andrews Drive
Napa, CA 94558
VISitation & Contempt. These are separate .1filings. but lloyd
dicln1 blowCourt rules and prOIIide two responses. That is point
ta.S'IlNI!N;).c- 510-381-1437 F"'ND.:
#1. Seoon<Iy. Uoyd goes on a lying spree in this (\()(;unent. of

SUPERIOR COURT OF CAUFORNIA, COUNIY OF
which I have highlighted 34 lies. Tell me wtlIch ones you can
5"l'I\.la_ss: 2233 Shoreline Drive identify on your own. Remember. your dad signed under oath that
o.wuo 0\DllRES5' all these statements are true. This is a legal Court document for a
crrv AJlIlZlPCOOE: Alameda, CA 9450 I
Judge to believe as true. Do you want your mother to be lied

Ange"'" H'1e
on to II Judge? Think about the ramifications if the Judge
believes these ies. These are adult isSlle$, and now you're an
Lloyd Vassell
adult. so it's time you know how dirty Uoyd really is. Melvin Hale
RESPONSIVE DECLARATION TO ORDER TO SHOW CAUSE

OR NOTICE OF MOTION
11452988
n,,;::
0712012011 9:00a.m. 303 "
1. (Z] CHILD CUSTODY
aDlconsenttOtheOrderrequesled.
b_ (Z] I do not consent 10 the order RQ.le$ted bull coosenllo Ihc IoIowing order.
Continue orders as status quo. Father continues to maintain sole legal and sole physical custody.
2. [Z] CHILOVISfTATIQN
a. 0 I COOSllnl to the orOOr requested.
b. ClJ 'do flOC oonsenI to !he order requested bul: I consenl to !he fOIoWing otder.
See declantion.
3. 0 a-tlLD SUPPORT
a 0 I consenllO the order requested.
b. 0 I OOI1sem to guideline suppon.
c. 0 I do not co.nsent to the ordftf roquesled. bull consenl to the loIlowing ordet:
11)0 Guideline
{2) 0 OCher (specify):
"I. CJ SPOUSAL SUPPORT
a. 0 I consent to the order raquastocl.
b. 0 I do not cons&nllo the orr;let rel:!'Jest!d.
c. 0 I consent to the following omu.
5. 0 ATTORNEY FEES AND COSTS
a. 0 I consent to the oASer re<lues1ed.
b. 0 r do not co.nsenl 10 !he oroer requesled.
G. 0 ! consent to the fOllowIng on:ler:
___... -.,u..
...-C4uod.. e-....

RESPON$1VE DECLARATION TO ORDER TO SHOW CAUSE
OR NOTICE OF MOTION
...."
--
# 2
RECEIl,Jj;;n
1t :21A FRO'l=ln:
66/28/2911 12:26 7075288384

,...- LAI.RA:WT
TO. J8394
P.2
PETmONERIJ>lAllffiFF,
RESPONOENTIOEFENDANT": Llovd Vasscll
845298-8
6. 0 PROPERTY RESTRAINT
a 0 1CDIlsenI10 !tie order requested.
b. 0 I do not oonserrl. to the otCle1 reQUeSted.
e. 0 I consent to lhe IdIowing ottIer.
7. 0 PAOPERlY CONTROL
a. 0 I CXl!1S8nl to lhe order requested.
b. 0 I do not consent 10 \he Otderreqll6Sled.
e. 0 I oonsenl to the otOef:
a [Z] OTHER REUEf
a. CJ I OOO$enl10 the on:l61loque;ted.
b. CZJ I do nol consent to the OtCler reqoosted.
c. 0 I OOflsef\tlo the following order:
9. EZI SUPPORTING INFORMATION
o QJOlaioecl in the attadled declaration.
NOTE: To respond to a f8QlJ6St tor domestic violence (e8b"elning oroetS roq.u.e.sioo RBq<J>e$/ fo.. OrdiJr tOOo7le3Dc VIOlence
Prell'lmtion) (Ioml DV.10l you must U&8 Ihe AfIS1INIJ( '0 Tempor.uy ReslTailring 0tr1er (Domestic pf8VWltion) {fofm
OVl20
l
. .
\" .1I"" /}
I declare url6ar penally 01 und6r !he laws of the State of CaHornia that the "I


A. __._'-_
RESPONSIVE DeCLARAnONTO ORDER TO SHOW CAUSE
OR NOTICE OF MOnON
In re Hale v. Vassel!
Alameda County Superior Court Case No. 845298-8
Attachment 9. to Responsive Declaration
I, Lloyd J. Vassell, declare:
1. I am the respondent/father in the above-entitled matter. If called as a witness, I
could competently testify to the following:
2. Petitioner/Mother has filed two motions against me in this court. One is a motion
for contempt and one is a motion for modification of custody of our soon-to-be 18 year
old son, Christian. This responsive declaration will advise the court of events that have
occurred. No statements made in this declaration are admissions to any claims made by
Mother.
3. Response to Petitioner'S ("Ms. Hale") claim re Visitation With Christian and
Maternal Grandparents:
Maternal grandparents will testify that, because of their age and health concerns,
it is not feasible for them to manage visits with Christian unless Taylor visits at the same
time. Taylor has been away at college and unavailable to visit their Grandparents with
Christian. When Taylor came home from college and visited his grandparents, Christian
visited during the same ~ i m e f r a m e .
II]
Ms. Hale would know this if she had contact with her parents. Due to the actions
of Ms. Hale's husband, Christian's Maternal Grandparents (Ms. Hale's parents), have not
spoken to their daughter in almost a year!
4. Response to Ms. Hale's claim that I have not been providing Ms. Hale with the
children's educational goals and progress:
ILJ For the past twelve (12) years. Ms. Hale has nol tried to be involved with the
children. She has no! asked me for information, has not sbown any interest in the
chiidren's iives. []
Whenever Ms. Hale asked to see Taylor and CIuistian during her infrequent visits
to the Bay Area, I adjusted all of our personal plans to make sure she could see them.
[] The last request was after Taylor's high school graduation in June, 2010.
5. Response to Ms. Hale's claim that I moved the children without her knowled2e:
Our home was foreclosed and we were forced to move. We did not move out of
the State of Califamia. The 2002 Court order did not contain any statements or orders
relating to moving the children's residence. The 2000 Court order stated: "Neither shall
relocate the residency of the children out of California unless by written agreement."
RESPONSIVE DECLARATION
PAGElof5
EJ Ms. Hale has always had our telephone number and my cell phone number..In
fact, I have repeatedly given our contact infonnation to her husband, because she WIll not
speak with me or email with me, or call my cell number. @]
[] I believe fully that Ms. Hale knew why \...e had moved, to where and when.
6. Response to Ms. Hale's claim that I am not initiating phone calls between her and
Christian:
@]
Christian is autistic, and he is not very communicative. If Ms. Hale had been
more interested in his life, and had spent more time with him, she would know that.
When Ms. Hale calls on Sundays, the time Christian is on the phone with her is usually
less than one (1) minute. When she calls and we are not home, she never calls back! I @]
have emails asking her to call Christian on my cell phone or to call during another time or
any other day of the week. She has NEVER done this, bUI continues to call on Sunday at
7:30pm.
The court order she cites advises that she is to call our home on Tuesdays and
Wednesdays. She does not call on those days.
~ We have asked on many occasions \\ hy she doesn't call on Monday, Tuesday or
any other day IF she really wanted to talk to him and not just detail that fact that she
called!...,Slle does nol respond, but her husband sends us threatening emails.
l!.!:J
7. @] ReSpOnse to Ms. Hale's claim that we (mv wife and nhave forced Christian to
call Lauren Mom:
l believe Christian started calling my wife, Lauren, "Mom" because of the love
and care he gets from her. I never told him to do that. Lauren did not tell him to do that.
!ill
Even though Ms. Hale is his biological mot.ber, she has shown very little concern
for him for more than 12 years. She moved to Florida and did not come back to visil
Christian regularly. She moved back to California, but down to the Los Angeles area. but
still did not come up to see Christian regularly. She has not acted like Christian's mother.
[ill .
I truly wish Ms. Hale had acted like Christian"s mother all these years. However.
when he is sick. tired, needs help with homework, needs new under\.vear, or during times
he is presenting his work at school, Ms. Hale is not present, Lauren is and has been for
many years. Christian made the decision to call Lauren ;Mom". Ms. Hale encouraged
that by being absent.
RESPONSIVE DECLARATION
PAGE 2 of5
8. Response tQ Ms. Hale's claim that I onlv \I,'3.nt money. having filed for child
support \\-irn the Department of Child SuPPOrt Services:
believe that Ms. Hale's mmion for contempt and her motion for custody
modification are based solely on her desire to a\'oid paying child support. Ms. Hale
knows that Christian will not be self-supporting and will be a speciaJ needs adult in less
than a couple months. He will continue to need therapy, schooling, therapeutic camps.
and as much help as we can give him. I believe that she filed the contempt ac[ion against
me to prevent me from seeking ongoing support from her now that Christian is reaching
adulthood.
lEJ Ms. Hale owes tIS more than $8.000 in child support arrears. When Placer County
Department of Child Support Services ("Placer DeSS") called me to check on the boys, I
was asked about on-going child support - or adult special needs support. I advised them
that I had not requested or wanted ongoing current support. Placer DCSS reminded me
that it was not about me, however, it was about Taylor and Christian and said if I did not
\\'3.nt to go after her. they would. The)' subsequently filed a contempt action against her.
EiKl
@] [care only about our children's welfare. Ms. HaJe cares only about the financial
bottom line. Every time Ms. Hale asked me to lower her child support amount, [agreed
and called Placer ncss to make it happen. She never once called me to thank me.
Instead, she continued to blame me for her choices.
9. Response to Ms. Hale's claim that I am a terrible and abusive falher and should
not have custodY of Christian:
In March 2005. I was awarded "Parent of the Year" by Children's Hospital. The
annual Lillian R. Weil Award to a Parent \Vho Makes a Difference was presented to me
on March 29, 2005 at the 91st Annual Children's Hospital & Research Center Oakland
Board of Directors meeting.
Ekua Hackney-Stephens, RN, PNP, who nominated me for the honor, said:
"Lloyd is the personification ofa remarkable parent." She introduced me saying: "His
love and devotion have helped his sons grow far beyond what is llsually expected of
children with special needs."
@!J
The only admission I make herein is that I have been with Taylor and Christian
throughout lives, for helping them. loving them. working with
them, and canng for them \\lrnout Hale has not been there at all. What linle
visitation she asked for and was granted, she did not exercise. Years have gone by where
she barely laid eyes on Christian. Further, neither of m) children h:l\-e been abused.
lID
RESPONSIVE DECLARATION
PAGE30f5
10. Response to Ms. Hale's claim that she wants to address Christian's transition into
adulthood:
!ill
I am absolutely astounded by her statements. It only took her twelve (12) years
to think about this transition.
As noted in all of Christian's Independent Education Plans ("IEP"), his transition
into adulthood has been a primary concern for me, Lauren, and the Napa Valley Unified
School District. It was not until the end of Christian's junior year that anyone from the
school district had ever heard from Ms. Hale. She never called them, contacted them or
requested any infonnation from them. This is why they did not give her any information.
!ill Ms. Hale did not attend any school functions, parent-teacher conferences, call me
or the school requesting progress reports, attend any IEP meetings, or take any action at
all until the last six months of Christian's minority. I strongly question her motives.
Christian will likely receive some form of disability/551 payment due 10 his
[2J disabilities. I am concerned that Ms. Hale is simply trying to lay the foundation for
getting Christian into her borne so she can take advantage of him.
11. Response to Ms. Hale's claim that I put undo pressure on Tavlor:
I admit that Lauren and I encourage Taylor to be all that he can be. According to
the experts, Taylor would not be able to live on a college campus, and yct, he did it for
two years. We took our children to Spain and Italy to visit their family and experience
other cultures. What has she exposed them to?
!ill
We encourage Taylor to do his best in school and 10 advocate for himself, we try
to get him to stop waiting for us to do things for him, and work towards his being
independent. When he needed bills paid, be did not call Ms. Hale - he called Lauren and
me for support. Ill]
[RJ Ms. Hale s claims are untnle and are solely intended to manipulate this Court into
taking actions tbat would hann Christian emotionally. physically and financially.
12.@Il Response to Ms. Hales claim that lowe her $25.000 m past due support:
I do not owe Ms. Hale any money. I have a formal accounting of all monies owed
~ n d paid. However, from the first day she was required to provide SUPP0l1, she has been
III arrears.
RESPONSIVE DECLARAnON
PAGE 4 of5
13. Response to Ms. Hale's claim that [ never wanted her to have joint custodv:
Ms. Hale did not show up to the Placer COUnlY Superior Court hearing regarding
custody and support. The presiding Commissioner/Judge told me that I did not have to
give her any visitation because she did not show up for the court date, but I decided [0
give her 10% visitation in calculation of support.
@QJ I had no idea whether Ms. Hale would ever come back to the Bay Area from
Florida. When Ms. Hale did move back to California, she mo\'ed to southern California.
Christian and Taylor needed a present parent. Ms. Hale barely showed up over the past
lEI 12 years, but now claims her actions are my fault and I should be sent to iail for her
failures.
14. Ms. Hale has asked this court to modify custody of a child who is only a few
months shy of turning 18. She is asking thal the court consider placing Christian in her
custody even though she has bad linle to no contact with him THROUGH HER OWN
CHOICE for years. 1m
This court must deny her request for modification of cuslody in its entirelY. If she
wanted to have custody of Christian, she should not have waited until now to request it.
!ill Christian does nol really kno\v his mother and her husband. To move him and uproot
Ilim at this point would cause catastrophic hann.
15. Requesl to change venue to Los An(!:eles or Napa County:
I agree that no one Jives in Alameda County. Christian, the only minor child in
this matter, resides in Napa County with me. If this court wishes to move-venue to Napa
County. I will not fight that. All ofChristian's teachers, friends. me, Lauren, his health
care providers all reside or do business in Napa County.
However, this matter must not and should not be moved to Los Angeles County.
That would be a hardship on everyone concerned.
IE] I declare under penalty of perjury under the laws of the Slate of Calitornia that the
foregoing is {me and correct.
SIGNATURE APPEARS ON JUDICIAL COUNCIL FOIUA
Sorry if I missed some lies. I was just skimming. MH
RESPONSIVE DECLARAlION
PAGE 5 of5
CHILDREN'S HOSPITAL
& RESEARCH CENTER OAKLAND
August 21, 201.
Dear Angelica,
[ (<.In not fill out this fcnn. r have not seen OUlstian for five Years. This should be filled
out by his current ph)'sici:\ll. .
I h,lve enclosed his last ch::m here ,\-ith me.
Sincerely,
/.\

Keith Quirolo, M.D.
Director, Pedi.-mic Sickle Cell Program
DirectOr, l\pheresis Program
Glildren's 'Hospital & Research Cenrer at O.lkliUld
747 52
M
Street
OJ.kJand, CA94609
Phone; 510-t28-3885 x 2517
Fax: 510597-7199
kQIlirolo<WIJ 1:1 jl.cho.0.0.:
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CHILDREN I S HOSPITAL OAXLAND
Hemoglobin09athy
Hematology/Oncology Department
7'1' 52nd Street
Oaklal;d, CA 94609
RE: VA$SELL,CHRISTIAN
BD: 08/n/93
MRW: 561991
Data of Service: 03/21/07
Insurance:
Diagnosis: Scatus post BMT for
sickle anemia
COMPREHENSIVE CHART REVIEW
C!:dsti.:tn Vassell is a. 13-year-old young l1L3n who hac s:'ckle cell anemia ar:d r,ad
a bolle marcO\<>' transplant with his sibling as a dono:::, beginning September 21 -.:If
2(,01, ;;her. began conditioning. Follo.d:-tg :tis from
who has sickle cell traie, he had 89\ donor cells 0;; l;is bone
eXZi:t1i:laticn. His hemoglcbin S showed an 5 c: 45'1;. He h<,c. an
unremarkable and uncomplicated course follo'.'i':'ng his conditioning ar:.d
tl"ansplantacion. He had no evidence of chronic graft versus host disease
engraftment. Christian last D. Walters on 22 of las:
year and continues to do well. He lS now cODing to the Sickle
Cell Center for follow-up. Christian has a course of ph:ebotOl:ly
iron overload, which was successful. Currently, he is on no medication and
do::.ng quit.e \/ell.
Chris':ian is here today ',.ith his father who >.it-ates he is doillg ,</ell in
school. He does have an aide and continues [0 be er.rolled in a speech class.
HOI.ever, he is quite well in science <llld math.
Sillce his last visit, he has had no febrile _llness.
level. He has no pain t!:at ...ould be referab:e to his
his weight is stable at 62.6 kg.
ALLERGIES: Ceftriaxone.
CURRENT MEDICATIONS: No:;e.
He has
sickle
a good ene.t"9Y
cell disease, a:,d
PHYSICAL
pressure
167 Cf:1.
EXAMINATION:
12... /62, heart
02 sat ....
011 physical examinal.:lofl, temperature is 38.1, blcod
r"te 131, respiratory 20. ':!eight 60.2 kg, ar:d Ile:gh:
0" room air is 98'.
Appea':"ance,
distress.
Christian a well-nourished, -....elldf:,veloped young 1:'03:1 i:: 1":0
;iEENT eXdn",illacio:l ifJ unremarkable. There:!> no sc.:lel<11 Norma1
del:tition. Nonnal TMs. No adenopathy.
ChE-st is clear to. a:.o.scultation in all fields.
;;ea rt has a regular- and rhythm, norma.. i:eart tcr:es, no
syscem i.;; intact. He has range of moti(.)11 of all
has no or decreased st:-ength 3:"ly extremities.
i!: soft, without. organomesaly. r.e has of a
splenec:omy.
Gt; is
CEU - LIVE (?C:. Cr.O,
?."_ , :6!22/:1Qil,08 by Qi..!ROLO,K:Tli Page
,
Skb. is cle3l;.
RE:
11R# :

5<;1991
Neurological examinacion is grossly intact. Christian does have global
de\'eloprr.er.cal delay and interact:'on is Ininimal. rle is also quite frighc'",-ned
chat is going to have lab work or a st.ick.
IMPRESsION: Christian Vassell is a I3-year-old young man is being
a bone marrow ;::ransplunt his cell disease; has
nc'..: been c years since his Day O. lJe has had no mecical problems since his t:one
marro\'! transplant. He was phlebocomized for ilis iron overload. His last
fe:t:ritin \:a5 536 og/ml in OCtober of 2006. iiis last SQUln on 10-24-06 revealed
1022 Ir:Cg/g:n d=y weight li....er iron, ..... hieh is equivalenc to 10 mg/gn dry weigh:_
He had a complete ","cric:-up by 0:-. 1iari<. ;ialte.::,;, is recorded :1". his las:
letter of 22, 2006.
His imrnunizations are up to date, '.... ith the exceptior: of his hepatitis A vaccine
and ius Neisseria meningccoccal vaccine. He "Iso needs d i'PD. In the
.... iil'.munize hi;r. ... iti:. th@ Ilew acellular pertussis vaccine as
Tr.e labo:-atory evaluation is
RECOMMENDATIONS:
1. Currently, Christian is not taking )li5 p/;'Ilicillin. Noted in 1-1<'.rk
!Ial!:.ers letter ot 12-22-06. he was tal<;:ng his penicillin. This ...al;
discl.:.ssed with Christian's father, and ...as !'.ighly recolM1el:ced tt:at
Christian taking penicillin 250 p.o. h.i.d .. as he is still
some risk for oven.helming sepsis, in spite of the fact that has bee!"]
imlnunized -:'Igainst pneumococcus and ,,,ill be in1lm;r.ized against Neisscri<\.
2. Christian ',;as supposed to return to c.he clinic immunization and
laboratory work, as of this dictation has not returned for elther.
). !t is Chriscian Cor.'le in to our clir.ic on a bial:nual o..,:;>is
evaluation and to
M.D.
Pediacric.ian
Cor.prehensive Slckle Cell Program
Chi <{ospi till il.nd ?ee",.::dl of O.'ii<lanC:
Tt,;: (51C) US-388'>. Ext. 2511

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Oakla::cl. 1.-A 9<:609
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1. TO CITEE (nama of person you a/lege has via/al9d Ihe orders): 1.I.OYD J. VI\S$I:,[.L
2. YOU ARE ORDERED TO APPEAR IN THIS COURT AS FOlLOWS. TO GIVE ANY LEGAL REASON WHY THIS COllAT
SHOut.D NOT FINO YOU GUILTY OF CONTEMPT, PUNISH YOU FOR WIUFULLY DISOBEYING ITS ORDERS AS SET
FORTH IN THE AFFIDAVIT BELOW AND ANY ATTACHED AFFIDAVIT OF FACTS CONSTITUTING CONTEMPT: AND
REQUIRE YOU TO PAY, FOR THE BENEFIT OF THE PARTY, THE ATTORNEY FEES AND COSTS OF THIS
PROCEEDING.
Arraignment date
for Lloyd J. Vassell
FL-410
01' PAATY I"'II"'OUI 1_....... .,."""""..., _--H&I
re: Contempt of
_ couwr lr.>
I
. ANGELlCA G. 1I.\Ll: Court re: Christian
3175 $. SEPULVEDA BLVO. il303
Vassell is
LOS ANGELES. CA 90034
R06-:t162
scheduled for
r..,. ,..)
--""""
fOR (-..ej.' IN PRO PER
1015111
... nQt:!t1
SUPERIOR COURT OF CAUFORNIA, COUNTY OFA 1:",IJA
i' . , ")'
STAUTA()OfII;SS, 2233 SHORELINE DRIVE ALAMElJA C,-.hINTY
"AAlUHG AOOIlESS.
orv......,""ooot ALAMEDA. CA 94501 MAY 2 2011
IlfWoCM-..GEORGE F.. MC[X)NALD HALL OF JUSTICE
PETlnQtIE:.AlPlAlNUFF: I ..'R.. \1. II;\LI.:.
LEAK OF THE SUPERIOR coURT
RESPONOENTIOEFENOANT: LLOYD J. VASSELL
By Leo F. TUllgohan, Deputy
OTHEFl PARENT:
ORDER TO SHOW CAUSE AND

AFFIDAVIT FOR CONTEMPT 845298-8
NOTICEl IAVlSOI
A conlempt proce..:llng II criminal In nahlre. II thl court 'Inds Un proce$O [ooidal pol" deeaeato _ de il1dola crlmlrnll. S1111 corte
you In contempl. lhe poMIble pen,"l.. InclUodlt Jail NIlIlH'Ce, Ie declata a usled en deNcalO, taaunc:1onM 1nc:IU)"en
community MfVIee. and nn..
pen.. de pOslOn Yde servldo I 'I eomunldld, y ""'"-
You _ enlltled 10 lhe....-IcM of III'l lIftome'Y. who Ulotlld be UsllId Ilene doWec;ho a de Uf'I 1toogIIdo, I qulin
consultlld promplly In order 10 eulM you. If you CIInno'! atton! an cOllSlolltar $In cIen'Iorl patl ob,-* lyudL 51 no puedIt pag_ un
iIIltorney, the COUftI'\8Y IP9O!n, an attorney '0 rep-esent you. abogMkl. Ia cone podrj nombr.- I un abo9"'O para que Ie

.
Am.:
Dale:
GlENN P. OLEON
.Il.JDlCW. OFfICEA
AFFIDAVIT SUPPORTING ORDER TO SHOW CAUSE FOR CONTEMPT
3. [lJ An Affidavit of FadS Constituting Contempt (form Fl411 0( FL-412) is attaChed.
Ci!cc ha:lc nil!!uily certain of this COurl lantl lflttNs alhOavII and "ny altac:l'le<l 311KlaV11S.
5. a Citee had lCnowledge oIlhe order in that
(1) (Z] cilee was pre$8fl1 in court at the the on:Ier was made.
12\ [l] citee was served with ACOPY 01 fAA on1er
(3lLl citee signed a stipulation upoo whICh the order was based.
(4) 0 other (specify):
o Continued ()fl Anachmenl 5<1(4).
b. Citee was able 10 c:omply with ead'I Ofdef when il was disobeyed.
6. Based on lhe instances 01 disobedience descobed III lhis affidaVlI
Zo. [ZJ I ha,e nol prev>oUSly nlOd a 1eque51 wltn me coun :.r,al me ellee 00 MIG Iii COOlempl.
b. 0 ! have prevlously filed a request wilh trle courtltlal the c,tee be held," contempt (specify dale filed and results):
'_e.-.tm.
OROER TO SHOW CAUSE AND AFFIDAVIT FOR CONTEMPT
-,..-0-........
o Continued on Attachmenl6b.
..... .. --..-
rl_"'O"" 1.<'00:II
...., ....
# 5
. u. "ALt
RESPONOENTIOEFENDANT: LLOYD J. VASSELL
OTHER PARENT: i
845298-8
o Continue<f oro Attachment 7.
8. ill Each order diSOOeyed and each Instance of disobedience is described as follows;
a. 0 Orders fOf child support. spousal support. family support. attorney fees. and court Of olhet litigation costs (see
attached AtndaW 01 Faas Cons1iMlng ~ (loon Ft-411J)
b. CZl Domeslic'1idence reslrairing O I ~ and child ~ and "isitalioo Ofder's (see attached Affidavit 01 Facts
CoosHMing Conlempt(form FL-412)
e, 0 ~ Of ~ order (spIICiIy which OIdw IO'ilS vicJlalfJd. how ItJtU 0ff1fK wa6 vio4aI8d. ana I4fhB.n /hQ (NckN was
violated);
o Continued on Attachment 8c.
d. [Z) Other material facts. inQuding lacts indicating that the violatioro of the orders was withoul justification or excuse
(specify):
Hoth of my sons are disabll_'d. I had conversalion with Lauren where she states that the best lime
10 reach the children is on SWlday nights before bedtime because they are home and getting
ready for schoollhe next morning. No return phone calls, Last instance 3 weeks with no
answer. lhen 5 weeks with no answer. They have moved and refused to give me the location of
my son. My youngest son Christian is autistic (willium 18 August 31, 2011). Defendant has
also instructed my children 10 call me Angelica instead of mom. My oldest son told me that he
wants (0 call me mom. I am currently filing for modification of current cusrody and visitation
order as well as a change of venue in another action. as I now live in California. Also. I am
injured and Indigent due tn someone hurting me in a car accidenf, (ravel is difficult ~
lZJ COO1inueoonAtladlmem80. *A J ~ ( , j ':."'l.tK.l OI.2.WEK (.'K(.'fIo1 2.0C>L. 4TTActiE..D
e. 0 I am requesting that attomey tees and costs be awarded to me fOf the costs of pursuing lhis COl'lIeft'lPl action. (A
copy of my fnoome and Expense DedaratkJfJ (form FL-l50) is attad1ed.)
WARNING: IF YOU PURSUE THIS CONTEMPT ACTtON, IT MAY AFFECT THE ABILITY OF THE DISTRICT
ATIOANEY TO PROSECUTE THE ClTEE CRIMINAllY FOR THE SAME VIOLAnONS.
L- _
t declare under peoaI1y of perjury under the Iaw$ of the Slate 01 CaNlornia thalltle foregoing is II'1J8 and cormct.
Dale:
ANGELICA G. HALE
OADER TO SHOW CAUSE AND AFFIOAVTT FOR CONTEMPT
FL'IIO
ATTACHMENT 8d:
1am including below a status and overview on how my access to the children has been. r am now living
in California; however the order is based on my living in Florida. A modification is also being filed to
address my concerns as well as updating the parenting plan. My main concern IS access to mv sons.
The current order states:
-"The minor children of the parties, Christian and Toylor sholl be in the custody of Petitioner Angelica
Lewis Hote in the Boy area or i/ she is not available, the maternol grandparents Charles lewis andAdell
Lewis on the third of /!och month. ..
My son's last visit with their maternal grandparents was in March 2011, and previous to that in January
2011. They did not see me or their matemalsrandparents in February 2011 and April 2011.
- "Respondent shoJI consult with the Petitioner by email or other means on ony non-emergency decisions
having to do With the children's healrh, educotlon and welfore... He sholl also notify Petirioneran on
ongoing basis os to the welfare of the children. Respondent shall also authorize all of the children's
teachers, medical professionals, social workers, therapists and ather service providers to provide
information to petitioner at her request_"
-The defendant is not allowing agencies to release records as stated in the court order. On March 2,
2011, ) contacted Cristina Bautista of the North Bay Regional Center, a case worker for Christian Vassell
to have access to his records. The Mr. Vassel! told her not to release records to me. To date, I have not
received to records.
The defendant is not communicating in any way regarding any non-emergency decisions haVing to do
With the children's health, education and welfare... He shall also notify Petitioner on an ongoIng basis as
to the welfare of the children. In March 2011, the Mr. Vassell relocated my son to a new address
without informing me of his whereabouts nor has he given me any information on the welfare of my
children. I called and his phone was disconnected. On April 20, 20111 sent a letter to my son Christian
and it was returned to me as Mr. Vassel! has moved from his last known address.
cause appearing therefore,
I
I
I
I
I
I
FI LE 0
ALAMEDA COU"FY
JUN 1 1 1001
ORDER AFTER HEARING
(5/])/02 Hearin8)
No. 845298-8
,1\lN l 2 ZOOI
MICROFILMED
and
ANGELICA LEWIS HALE
Per,
.J\nd based upon the partial stipUlation "y the parties and offers of proof, and good
Tilis matter having come on for heanl1 on May i3, 2002 in Deparnnem 14 oflhis
Petitioner Angelica Lewis Hale being personally present in Court wilh her anomey Ira H.
J. The minor chddren of the parties. C and Taylor shall be in the custody of
Petitioner /\.ngelica Lewis Hale In Bay area or if she is not available, the
Petitioner:
IT IS ORDERED. ADJUDGED. AND ;)ECREED AS FOLLOWS:
Application for Orders filed by Petitioner Angelica Lewis Hale on October 31, 2002, and
Court, the Honorable Judge Stephen Dombrink, on the Order to Show Cause and
SuPERiOR COCRT Ot CALlFOkNiA, COliN i Y OF AL<\MEDA
iRA rio MEYeR SBR,,+Sci:7
Attorney at Law
2832 Avenue
Berkeley, CA 94705
(510) 845-4597
In Re:
Attorney for Angelica Lewis Hai
_______________1
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maternal grandparents Charies LeWIS and Adell LeWIS on the thIrd weekend of
each month. In 2002. this shall be Ihe weekends of May 24, 2002. June 14.2002.
July 19, 2002, September 20, 2002, October 18, 2002, November 14, 2002, and
December 20. 2002. Weekends shall begin at 7 PM on Friday and end at 6 P.M. on
SuuJay. As in previous years. the panies wiii remain flexible about ..he: Christmas
holidays. Respondent shall provide all transportation.
The children shall have two telephone calls with Petitioner each week. One call
shall take place on Tuesday everung at 7:30 PM (pST). The second call will also
he Ilt 7:30 PM (Psn each Wednesday Peritioner shall iniriMe both
weekly calls and Respondent shall make the children available at those times.
3. Both children suffer from autism, and maintaining consistency in different
cn... is critical t.... c:lJecti.ei) manage their behavior. To ensure !.ala. tile
same rules apply at the grandparents' home or when the children are with Petition
as at Respondent's home. Respondent shall give Petitioner or Charles and Adell
Lewis a note detailing any special circumstances, such as puruslunents or
weekend. Petitioner or the grandparenrs should give Mr. Vassell a note detailing
any special events or circumstances that occurred during the weekend.
4. On tnose woeo the chllQren are WIth Peulioner or Charles and Adell
Lewis, the' materna; grandparents. i: wiil be necessary for Taylor to miss his
Saturday morning karate class. On that week, he will make up the class on
Tuesday evening. Petitioner and Respondent agree that on that week, there will be
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no Tuesday night call from Petition on the week the children are with her or
a"ld Adell Lev-is.
5. Only Taylor shall be with Petitioner or with Charles and Adell Lewis until
Christian's doctors approve his VIsits.
6. Responaent shall continue to have sole legal custody of the minor children as the
Petitioner resides in Florida. Respondent sb&l1 consult with the Petitioner by e-
mail or other means on any non-emergency decisions having to do with the
children's health. education, and welfan:. (It is not sufficient that he give the
gmn.dparents notice) He alsC' "(lrify Petitioner cn an ongoing basis as ,0 the
welfare of the children. Respondent shall also authorize all of the children's
doctors, teacher's, medical professIOnals, social workers, therapists, and other
,;c,nice providers to provide to PetJuoner at her request.
Dated: May 13. 2002 I ,:

FPETmONERlPLAINTIFF:ANGELlCA G. HALE
[
Ht:.SIJONOENWEfENOANT; LLOYD J. VASSELL
, OTHER PARENT:
l
I

AFADAYIT OF FACTS CONSTITUTING CONTEMPT
Domestic VlolencelCustody and Visitation
Attachment to Order to Show and Alffdavit for Contempt (form Fl-41 0)
1. 0 The Cilee has violated the restraining ord8f issued on (date): by con1achng. molesting,
harassing. anecking, striking. threatening. sexually assaulting. banering. telephoning. sending any messages to, lollowing,
stalking. destroying the pefSO/lal property or, disturt:ling the peace 01. keeping IJflder surveillance. Of blOCking movements in
publIC places ana tnofOI.Jghlares at me Of any 0UleI' person protecteG by:he restrairnng oroer. i$peafy"ollt-.ich order was
vioIa/ed. how the 018f was vfoIated, and whet11h& violatiOn OCCU"ed):
o Continued on Altachmenl1.
2. 0 The Cilee has violated the restraining order issued on (dale): by not moving from and
staying away lrom lhe lesideoce as ordered by the court. (Specity how /he 0tT:1er was vioiated and when the viOlation
0CCtJn8dj:
o Continued on Anachmenl 2.
3, L_J The Ci!ee has YioIaI:ed the restrainir>g ord<;lf isSUC(l on (<:ble.l. by nol slaying
(specify): yards away from me, lhe olher prolecte<l persons. my residen<:e, my place 01 work. the children's
school Of place of child care. my vehicle. Of other (specify):
(5pecity whfch Older was viola/ed, how tl'te cxder was VIOIat&d. and.men the vioIatioll occurred):
o Coolinued on Attachment 3.
4. 0 The Citee has \liolated ltle restraining order issl.JecI on (daIB): by not relinquishing his
or her Iirearm(s) as ordered by the ooon. (SpeciJy which order was lIkJ/aled. how /he order was VIOIa/ed. and when /he
II"IQ:aIion aa::umK!):
C CUll\illUea on Attachment ...
5. 0 The Cilee has violated the restraining OI"der issued on (dale}: by failure 10 complete
coun-otdE!red beltemr's treatmenVanger management dass (specify how the order was vioJared):
r:J ConIinued on AItad1meot 5.
6. CZJ The Cilee has \liolated order issuod on (oa/e)' 5/1312002 by \liotaHng lhe following custody or
visitalioo order (wecity which arc1M' was \lioIaled. tH;w the order was viola/ed. and wilen /he \lioIa/ion occvrrKi):
shall initiate brnh weekly calls and Respondent shall make the
children available 81lhose limes,H has not been making
Christian available for phone visitation. (5ef. Auarhment 6 for dares) CZl Coolinoed on Altachment 6.
7. [Z] The Cilee has \llolated the order issued on (da/e):
order was violated and how lhe order was \100(00):
See Allachmenl 7.
5/1311002 by \liolating other orders (specify which
CZl CoorlOued on Attachment 7.
t declare under penalty of perjury under the laws 01 the Slate of Car.forma lhatthe foregoing is live and correct.
[)Me' "
ANGEI.lCA G. HAl.F.:
(-: "
\
F"""A(lOpO... ,."._...... ..,...
.. c_
n"'\21_ I 20lXlI
AFFIDAVIT OF FACTS CONSTITUTING CONTEMPT
Domestic VlolenceJCustody and Visitation
Payo''''
r"'fWyC<>do.f=.
c.:..... .. .....

--..-
VISITATION CALLS & OTHER ACTIONS
RELATING TO CASE
EACH HIGHLIGHTED ENTRY IN BOLD IS A CONTEMPT COUNT - VISITATION OR ACCESS TO RECORDS
- --
--
- -

DAY DATE DETAILS
SUNDAY 812912010 "HI ANGELICA". 1CORRECTED HIM
SUNI)AY 9/5/Z01U LLOYI) ANSWERED - "CALL BACK
TOMORROW" (MONDAY 91612010)
MONDAY 91612010 NO ANSWER AND NO RETURN CALL
SUNDAY 911212010 NO A>'1SWERILEFT MSG TO CALU WE
WANT TO KNOW IF HE LIKED illS
BIRTHDA\' GIFTI NO RETURN CALL
SUNDAY 911912010 NO ANSWER/LEFT MSG TO CALL US BACK!
NO RETURN CALL
--
SUNDAY 912612010 NO ANSWER/LEFT MSG TO CALL US BACK!
NO RETURN CALL
SUNDAY 101312010 LAUREN ANSWERED - ASKED US TO CALL
I HACK SHORTLY- TALKED TO CHRISTIAN
SUNDAY 1011012010 NO ANSWER/LEFT MSG TO CALL US BACK!
NO RETURN CALL
SUNDAY 10/1712010 NO ANSWER/LEFT MSG TO CALL US BACK!
NO RETURN CALL
SUNDAY

+-
NO ANSWER/LEn- MSG TO CALL US BACK'"
ISUNDAY
NO RETURN CALL
TALKED TO CHRISTIAN -HE WAS RUSHED I 1/7/2010
UH I'HONE TU STAY UNOER 2 MINUTES.
SUNDAY 11/1412010 MY BlRTHDAY WEEKEND - LAUREN
ANSWERED - ASKED US TO CALL BACK
I
SHORTLY- TALKED TO CHRISTIAN
SUNDAY 1112112010
r-
NO ANSWERILEFT MSG TO CALL US BACK!
NO CALL
THURSDAY 11/25/20 I0 TAYLOR CALLS ME ON THANKSGIVING AND
LETS ME TALK TO CHRISTlANfTAYLOR
UPSET
!SUNDAY 11215/2010
,-
LAUREN ANSWERED - TALKED TO
CHRISTIAN BRIEFLY -I CALLED AGAIN-
IHI-.N'LAURENCALLSME lUHAVEA
CONVERSATION - WE DISCUSS MY NOT
HAVING VISITATION ACCESS AND THEM
ISUNDAY
ISUNDAY
_I.
I I
HAVING AN OPEN CASE
1211212010 BRIEFLY TALKED TO CHRISTIAN - TIlE TV
VOLIIME WAS CUT UP TO DISAAI.E THE
I I
CONVERSATION
12115120I0 "'IJN=T"'1L-I;';/2"'0'"12"'0"'1"'1.--1
. ITHE V,'\SSELLS START ;\NSWERfNG THE
I_JL-- M=E_,-_..J
ICALLED FOR CURlS nAN INO I
ANSWER/LEFT MSG TO CALL US BACKI NO
SUNDAY
. 1212012010 1CALL 3ACK iLEAVE MSG
SATURDAY 1212512010 CHRISTMAS - CHRISTIAN CALLS ME
SUNDAY
11212612010

NO ANSWERILEFT MSG TO CALL US 3ACKI


ISUNDAY
NO RETURN CALL
TAYLOR TALKED TO CHRISTIAN - DIDN'T 11212011
TALK TO ME BECAUSE HE WAS "BUSY"
EATING DINNER
SUNDAY 11'112011 CHRISTIAN WAS EATING DINNER-
DISTRACTED - liE SAID "III ANGELICA"
AND I CORRECTED 111M, RUSHED OFF
PIIONE TO EAT
-- --
SUNDAY 1/1612011 NO ANSWER/LEFT MSG TO CALL US BACKI
CHRISTIAN CALLS BACK
1THURSDAY 11!1OI2OII
I
TAYLOR RETURNS BACK TO LLOYD'S HOME
TAYLOR HAS ARGUMENT WITH LAUREN SUNDAY 112312011
ON WAY BACKTOCAMPUSI
WE CALLED FOR CHRISTIAN - NO ANSWER
IASKED LAUREN TO CALL US BACK
BECAUSE WE HAD SOMETHING TO
DISCUSSI NO RETURN CALL
MONDAY 112412011 LLOYD & PLACER COUNTY FILE CS
- --
CONTEMPT CASE AGAINST ME
-
-----
- --'--.
'CALLED CHRISTIAN - HE WAS RUSHED-OFF- SUNDAY 113012011
PHONE
SUNDAY ?J6.'2011 LAUREN ANSWERS, TELLS US TO CALL BACK
AT 8PM AND HANGS UP ON US
SUNDAY 2/1312011 NO ANSWERILEFT MSG TO CALL US BACKI
NO RETURN CALL
SUNDAY 212012011 NO ANSWERILEFT MSG TO CALL US BACKI
NO RETURN CALL
SUNDAY 212712011 NO ANSWER/LEFT MSG TO CALL US BACKI
NO RETURN CALL
TAYLOR TELLS ME THEY ARE MOVING TO
IWEDNESDAY IJ1212011 I
A NEW HOUSE AND HE NEEDS TO PACK
NEXT WEEKEND
I ((1,1 \l I IHt,IlI\,I,1 I Itll.1 I
1{1 (()I{Jh HJj{ Bi)\ ........ LUI\ 111)1.'\11......
IU Lill'\ \I ( I '\ II H. Col\ 1'(, \11 \( ( I .... ,
r '.Y"I;.
SUNDAY 3/612011 TAYLOR GOES HOME FOR WEEKEND TO
I
PACK
VISITATION CALLS & OTHER ACTIONS
RELATING TO CASE
ISUNDAY 11211912010 I =:J NO ANSWER/LEFT MSG TO CALL US BACK
,
'.
, , , ,
WEEKS
..
SUNDAY )/19/2011 TAYLOR IS AT NEW HOUSE FOR SPRING
BREAK AND LETS ME TALK TO CHRIS1IA'"
-
WEDNESDAY )12312011 FIRST APPEARANCE ON CS CONTEMPT
FRIDAY )12512011 CONTEMPT CASE DIMISSED WITHOUT
IS,'''"AY IJ/27/21111

PREDJUDICE -I WAS NOT NOTIFIED UNTIL
APRIL 16,2011
1.1."-1) TO T\ 1.1 TO ("I-I UoISTI VHO-'E
,
11ISCO:":"ECTEIl. CALL LLOYDS CELL -111:
(;I\-F.S :\[W PH CALL[U A:"iU
T \! "ro TO CHR!STL\;'i, ntT THEY
TO llIS("LOSE WHEIIE \IY
IS 1.1 V, "Ie, WHERE THEY
ISUNDAY
I I
R.Ei.OCATED. THIS ALSO TH\\"ARTS i\n"
AHI!.ITV TO FILF. COIIRT PAPERS ON THEM
FoH. ('S ANI)
413t1011 TALKIo\) -10 CHRISTIAN
-
SUNDAY 4110/2011 TALKED TO CHRISTIAN - HE WAS RUSHED
- -----,
.. _.- -
OFF PHONE, I WAS HUNG UP ON
-----,
FRIDAY 411512011 PLACER CS CASE WORKER CALLS
NEGOTIATIONS FAIL
S\1NllAY 4/1712011 STARTS UP AGAIN, NO ANSWER/LEFT MSG
TO CALL US BACK! NO RETURN CALL
WEDNESI>AY 4/2012011 SE:"1l LETTER TO CIHUSTlA;\ WITH
1':'l:Tt"R, RECEIPT
SUNDAY 412412011 NO ANSWER/LEFT MSG TO CALL US BACKJ
NO RETURN CALL
ISUNDAY
51112011 NO ANSWER/LEn MSU TO CALL US BACKJ
NO RETURN CALL
5/3120 II IUTUYU) ,\1\' LETTER TO GIRISTIA:" I U.SDA'
TO 'If: 1":\UELlVEIH:I>. E:'O\,ELOPE
liAS :'\"r.w .\I)()RF.SS, THIS .-\LI.OWS 'IF: TO
Tn VII F {".\Sf''''
VISITATION CALLS & OTHER ACTIONS
RELATING TO CASE
1
r.===-----1Ir,-;==,---!----1
SU"ID'\Y )'l3
n
OIl TALKED ro CHRISTI '\N FOR FIRST fN )
5/812011
I OF ('S ;\!\I1l VISIT..,\TIO:'I
__-+Vi-;I'O'"H,,'-;;' T",':c';:-lN.;;I",M::';-J1J7.-,1F,c'I.o;C"A",T","")",N=-===,,,------;
MOTHERS OAY -:-10 A:-ISWERILEFT MSG
TO CALL US BACK! NO RETURN CALL. I
INfORM TAYLOR THAT I F1AVEN'T BEEN
I I
"
ABLE TO TALK TO CHRISTIAN IN 4 WEEKS,
MONDAY 519/2011 MAiLED PAPERS TO PLACER COUNTY COURT
FOR CS MOIJIFICATIONI JUDGE HEARiNG
L Ji --...LI ..JI""F"'ILe-i'-'.NU"' ...J
)
VISITATION CALLS & OTHER ACTIONS
RELATING TO CASE
19 COUNTS OF CONTEMPT
FOR DENYING VISITATION
1 COUNT OF CONTEMPT
FOR DENYING ACCESS TO RECORDS
1 COUNT OF CONTEMPT
FOR NOT FOLLOWING COURT ORDER
TO NOTIFY ME OF THE CHILDREN'S LOCATION AND
WELL-BEING BY MOVING CHILDREN TO A OTHER LOCATION
AND CHANGING THEIR PHONE NUMBER WITHOUT NOTIFYING
ME (EVIDENCE: PHONE NUMBER DISCONNECTED PHONE
NUMBER AND RETURNED LETTER TO CHRISTIAN)
TOTAL COUNTS HIGHLIGHTED ON THIS LOG: 21
4
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3,1755; Sepulveda Blvill
#;303 .
Los Angeles. CA 90034
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move Ihe mouse (Ner the ex
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$)71.280
The retraC1.llble cllIpc:ure bill'
MoYO lhe capture bar OYer ally screllfl edge alld it
aulomatically relract oul of your way
fiiii-
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BaUlrooms: 3 Full
Square Feet: 3301
Year Built 2004
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Bank Owned 8edraam hOmt WlIl1 3.301 Sq Fl NICly LandsCaped l Sial) will1 Fiest j I
ld Air. Glanite KitChen Couniers
# 7
Calls For Service Report Call 10: 110507203
Printed: July 12, 2011
1. Agency
2. Person Received 3. DatefTime Received s. Time Arrived 7.case#
NSD
Complaint
0512112011 11:50 12:02
4. Time Dispatched 6. Time Complete
.
J 1:51 12:40
8. Nature Of Incident
DISTURBANCE OF THE PEACE
9. Location Of
Incident
358 SAINT ANDREWS DR, NAPA, CA
10. Victim or Caller HALE ANGELICA
11. Classification
12. How Received 13. Disposition 14. Officer- 15. Date Submitted
PHONE" lICAD CALL ASSiST Kennedy, Karcn 0512112011
PRIMARY UNIT
Notes: LOI search completed at 05121111 11:50:39 TRANSF THRU CHP 1LA RP TOLD CHP THAT HER DISABLED 20
YR OLD SON WAS ATIACKED BY HIS FATHER CHP COULDNT TRANSFER CALLER ON CB NOW SPKG
W/ANGELICA HER SON LIVES TIlERE W/HIS FATER VASSELL LLOYD 1204 57 RP IS NOT 97 NO MENTION
OF WPNS SON IS VASSELL TAYLOR AND HAS ASBERGERS RP IS IN LA RP REQ 1021 WIDISPO AT EITHER
9166907927 OR 9168063162501- 1021 INTO RESIDENCE.. NO ANSWER AT DOOR NO 1021# LISTED IN
ILEADS FOR RESIDENCE 501- C4 504 - JNTO THE BACKYARD....NO ONE IS THERE 503 97V 503- HAS
NUMBER 501- AT 358 SAINT ANDREWS ** CON search completed at 0512J/ll 12:12:14 CON search completed
at 05121/1 J 12:12:14* LOI search completed at 05121/11 12:12:17 Event Location changed from "350 SAINT
ANDREWS DR CNTY NAPA" 10 "358 SAINT ANDREWS DR CNTYNAPA:@LYNNEBKING"at:05121/11
12:12:18" by: LORI BORG on terminal: napadisp5 503 - CODE4 LLOYD JEFFREY VASSELL DOB \2/4/57
IS THE FATHER OF TAYLOR VASSELL 4/17191. TAYLOR HAS MENTAL HEALTH iSSUES AND HAD AN
ALTERCATION WITH HIS FATIlER AfTER HE JUMPED HIS FATIlER. TAYLOR EXPLAINED HE THOUGH
HIS FATHER WAS HURTING HIS BROTHER CHRISTIAN WHO ALSO HAS MENTAL HEALTH ISSUES.
CHRJSTIAN WAS FINE. TAYLOR WAS FINE,BUTHAVING A BJTOF A "BREAKDOWN" WHEN HE WAS
AROUND HIS FATHER. A FAMILY FRJEND DEON BOOKER DROVE TAYLOR TO HIS GRANDPARENTS
HOUSE IN FAIFIELD WITHOUT FURTHR INCIDENTS. NAT
# 8
Re: hey sweetie - Yahoo! Mail
"Y"AEOOr. MAIL
Classic
Re: hey sweetie
From: "Taylot V a s s e l l ~ <tyronor@gmail.com>
To: "Angelica Hale" <angellcahale7@yahoo.com>
Right now I am busy with the Student online Orientation.
http://us.mc657.m-.-a yahoo.comlmclshowMessage?pSiw=200&sMid
4i-1
Sunday. May 22, 2011 7:07 PM
of2
On May 21, 2011, Christian and I were just putting the dishes away
while dad was with us. lauren was somewhere else while we (the males)
remained at home. During our chore, dad (Lloyd) wanted Christian to
put an extra cleaned dish away in a different area in the house. As I
mind my own business, I hear dad telling Christian to put away the
dish in the direction he wanted Christian to put in. Christian was
making some mistaes and dad soon became intense as Christian was
trying so hard to remember which is right and left.
This scared me and Christian. I was holding a cleaned lid which covers
a pot as I watched. I was thinking Christian would be able to remember
how to tell which was right and left via hands t help him. Dad became
to hard on Christian as he was afraid as always. I knew this would
happen again to Christian while Christian was screaming in fear and
dad being hard on him again. I heard and seen enough from that monster
and I told him to leave Christian alone so he can try to keep calm.
Dad said the f-word and telling me to stay out of his business while
coming closer to me. We both attacked each other. I used the lid to
attack my dad after he made the first move. I ripped his shirt while
standing as along as I could to defend myself from the tyrant who I
use to trust. We both hurt each other and Christian was frightened. I
was telling dad, while fighting him and defending my frightened
brother, , wanted to help him. He did not care and think at air. I had
to think about Christian because I knew all along my dad and lauren
were raising him in the wrong way the whole time.
I was soon pinned on the ground and I was bashed on the head. I was
still strong while on the ground, keeping my fater from hurting me
more too easily. Then we stopped fighting and he told me to pack my
f-ing bags and go to you.
I will never forgive him for what he has done to me and Christian and
all others he harmed mentally/physically.
After recovering from the fight and getting some bags ready, dad came
in with a hammer. He told me if I touch him again, he will bash my
head with the hammer many times and kill me. He was going to kill me.
No one was there for me. No one. I saw a person who I wanted to
forgive and help become the most nightmarish thing in my existence. He
made me feel weak and stupid and defensless. After threatening me and
telling me he doe notneed my help to raise Christian, he left me 10
pack up and send you text messages behind his back.
Outside my room, where I pack, I hear him say he wilt burry me outside
Q/I ")nfl I I A1C DU
# 9
Re: hey sweetie Yahoo! Mail
in the pack porch after murdering me.
http://us.mc657.m..a..yllhoo.eom/mdshowMessage?pSize=200&sMid.
:'( If he killed me to defend himself and continue to be his way, he
would have destroyed Natalie Portman's new film I am working on, he
would continue to behave in his own fashion while hiding my dead body,
and he would have ruined my future and cause all of my friends to
wonder about my disappearance. He would lie about how I wanted
Christian to be safe and not have to be afraid of the horrors of this
family. I HATE HIM! HATE HIM!
I was glad to get your attention to help bring the police to Napa to
comfort me. I was frightened about my dad. I was crying so hard after
I was telling the police about what was happeing to me for years. I
never wanted to hate my family. I never wanted to hate Lauren or
Lloyd. It was terrible Jiving with them. You have no idea of the
horrors I still have in my mind and how my dad continues to be the
same person with not changin lifestyle in 20 years of my natural/ife.
He must payl He must PAY! One day! Not this year. Not next year. He
must pay for mentally harming you, me, Christian, and others. Not
through physical force, but something to make him truly understand how
someone like him must learn from his own actions and what would happen
if he pushes thigs too far.
I am sorry for trying to help him and everyone try to stay well. He
was horrible and I was always weak headed because of his presence. No
wonder I was not told the truth about him. No wonder I was afraid of
telling him about how I feel about some things. He almost destroyed me
and I almost lost my happiness for good. I almost died in vain and
Christian was very scared about Lloyd's parenting. I still feel the
same head bump on my head today. Dad has made one of my dar1c:est
predictions and nightmares come true and I could not prevent it. :,(
Taylor V
01'2
Re: your story - YahOO! Mail
Re: your story
From: "Taylot Vassell" <tyronor@gmall.com>
To: "Angelica H a l e ~ <angelicahale70yahoo.com>
httpoJlus.mc657.r
l
.yahoo.comlmclshowMessage?sMidz9&fid=%4
Sunday, May 22, 2011 9:34 PM
Lauren was never back to see me and I never said good-bye to
Christian. I wanted Christian to feel better. Dad sent me a text
message, but I rejected it and deleted it since I lost him completely.
I did not read it at all. I still continue to feel mental pain today.
I don't think Lauren truly cares about my feelings at all. I trusted
her and she almost left me to die because her husband could never be
trusted. She married a deadly menace.
The person who picked me up was Mr. Booker (a friend of family). I
cannot explain anymore. I need to relax still because I need to finish
that orientation for school.
On 5/22111, Angelica Hale <angelicaha!eZ@yahoo.com>wrote:
> Hey Sweetie,
>
> I want to know more about what Christian was doing before, during and after
> the incident and how he was feeling. Also, was he crying at any time?
>
> Also I want to knOW' more about what Lauren was doing before, during and
> after the incident and how she was feelinglwhat she was saying to Lloyd, you
> or Christian. Did she try to intervene at any
> time or help you or him? Also, have you heard from them since you left?
>
> And the guy who drove you to Fairfield...how long after the fight did he
> show up and what did he see. What was saki when he was there. VVl'lat did
> Lloyd tell him? Did you notice if anyone else saw you leave with him (ie:
> neighbors, security guard)?
>
> Hang in there and rest up sweetie. His actions are NOT ok for you or
> Christian. .
>
> Love,
> Mom
>
>
>
> On Sun, 5/22/11, Angelica Hale <angelicahale7@yahoo.com> wrote:
>
> From: Angelica Hale <angelicahale7@yahoo.com>
> Subject: Re: your story
> To: "Taylor Vassell" <tvronor@gmaH.com>
> Date: Sunday, May 22,2011,8:31 PM
>
> Sweetie,
>
> thank you for telling me the truth and we are all praying for your rest and
-
. May 21, 2011 . The day of the v""-'ent incident, when lloyd beat Taylor dowrr"-- suggesting that lloyd was being ---
, mean and abusive to Christian. .gelica was the one person Taylor called fOI l1elp. In the end. he thanked her for calling
the Police to intervene. Taylor was angry thaI Lloyd had blamed him for the incident When Lloyd and Taylor
were done fighting lloyd had a tom shirt. lloyd brought out a hammer, and told Taylor, in front of Christian. that
in the future, he would kill him, and bUry him in the backyard if he was ever violent again. ; ,
Go,' Taylor Cell .
" __
Sent: ."., ._ .
. '.
1O:56:06am '
,
O?!21!Z011
#/()
G Taylor [ell
dad almost killed
me
he is evil
Taylor Vassell
G 1 f.'h.!1 (('!I
Senl:
1l15fJ::1'; dill
(],:/71/:'1111
ODtions Relliv
G TBylor [eli
he will pay'
n? he is alier'
T"ylor Vassell
Back
...
Options

5
# 10
Thank you again... - Yahoo! Mail
Y.A.HOor. MAIL
Clauic
Thank you again.
From: "Angelica Hale" <angelicahale7@yahoo.com>
To: "Taylor Vassell" <tyronor@gmail.com>
Taylor
~
hup:l/us.mc657. :. yahoo.comlmclshowMessage?sMid:=34&fid""'O/c
#//
Sunday, November 14, 2010 9:31 PM
Thanks for telling me the truth about Lloyd and Lauren telling you guys to call me by my first name. This is just
one of the reasons why I dont talk to Grandma and Pepa, besides them deciding not to send me any money to
go see a doctor when I was injured in my car accident, because they won't stand up for me when it came to
your dad and Lauren's behavior towards me.
Your grandparents act like they do care, but they allowed this type of behavior to go on without speaking their
mind and standing up for me to Lloyd/Lauren when Melvin and I asked them to do so. You should always try to
honor and respect your parents, but that doesn't mean that you have to be around them forever if they are not
doing the right thing. I am not advising you to not like your grandparents, I am explaining why I have not been
in touch with them. Lloyd's mother has not helped the situation either. I have never said any negative things to
you about your dad nor asked you to call your dad "Lloyd" while you were growing up like your dad and his
mother and family has done to me.
Soon, you will be able to be on your own, and won't have to worry about this any more. Enjoy your time and
independence in school. Studying hard and getting good grades ensures more independence for you! Keep
studying hard. give yourself breaks, and keep the television to a minimum for study time.
Christian deserves the same access to me as you do, too. And now he doesn't say that he loves me any more
like he used to. I always tell you guys kisses and I love you on the phone. In addition, I think they monitor his
conversation with me and they rush him off of the phone, IF they answer the phone at all. They never allow
Christian to return my calls. I think the only reason I got through last week and tonight is because you brought
it up to them that I can't get through on the phone. It is selfish of them, and because I have had hard times, it is
not fair. Don't think that all Christians are like this. Focus on success and we will keep trying to get you where
you want to be! Fight against the negative and stay positive. It's hard not to hate, but it is not impossible to be
victorious. Keep up positivity by deep breathing, positive prayerful thoughts and trying to think of funny or
positive things (or even a funny movie). Know that Jesus always wins in the end!
I love you sweetie, and.remember that even jf you dont like what they do, don't let them make you blow up.
Take a deep breath, keep your eyes on the prize that soon we will get you to a better space, and that's
achieved by focusing on your education. t know it's hard, but not impossible.
I am working on a way to try to get you out here or with me somewhere quickly, so try to stay calm as
you can, so take a deep breath and relax. You can call me at ANY TIME.
Thank you again!!! I am proud of you...you are loved and successful.
Love,
Mom
01'1 ...""ntH' c ..... "
# 11
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G Taylor Cell
G
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ToO excited ror and I will soon Sent:
Thor. J plan to
produce VX super 3:02:47pm
.
watch it tomorrow.
force. She has
05/05/2011
If Nat helps make
connection with 0
8rokenForce, she
Ctntinr,,:;
f;a:v itr,tir,r:-;
P.pnlv p,v

t.; 'I .wh 11 ')-11
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"t1lh tit''\ w"o milfhl
LJI! hI
11!IIlIllill\1 ttl i.I 111111
fIJI ""'ill!!/s.
G T;?/r.rc.e1
Sent:
3'fJZSOpm
05!fJ5r6J1l
Taylor concemed about what is happening with Christian. Feels that he is abused. 0510812011
r; T"yk,r Cpll
Darn II. I am slill
Ion r,onc(!rIlerl
ahmlt what Is
Ilappenlnn wllh
Cllrisllan IllclurJhlr,
m....
T.a'j"3: ';dSS<:1
G Taylor Cell
Sent:
8:14:16pm
05/08/2011
\
::x;'" I tinr." Reo1v
Mentions concerns about mental stress. 05113/2011
G 'Ta,w cen ' 'G!!!!: "'!!1
have been having' ,
mental stress \,
lately.
Taylor Vassell t:- '\'
" 1
P. =.rv.
4
# 12
Me with Christian as a baby. I was a pioneer in bringing
early intervention to my autistic children, laying the
groundwork for their development. I gave up a promising
career in broadcast for my children.
# 13
In these photos we are picking up Christian and Taylor from
my parents house ;n Fairfield ;n May 2004. We brought them
home to Elk Grove at least once a month for three years!
The email to Lloyd that follows this exhibit documents these
visits. Uoyd claimed in his declaration to the court in
Alameda that we never lived in northern California! That
we moved from Florida to Los Angeles. A bizarre lie indeed.
# 14
fI' Sunday...
From: !c=l- ";'ngelita L<c-w,s' 67J
10: FUoyd Va::::ooll" <lIoVd_...
Oeuue r Reply (. ForwarCl
._ 1
'IIO'JB.. _ "',
1F/5
Decem.ber 27, 2(105 2142 AM

& I
gOing on Cur of all was
the boys would be here until Sunday. You
"'i:hae I H(je. t"e will drop the off bound 2pm 0'1'\
S.mday, Christ!t:as Day. We 'Will pick up on Sun
.,;-cnuary 2, 2006." TaAT'S AGREE2oENI'. FERICD. We
to In 12:00 on
My Day vi$it in ?a1:field Wa$ ae
1 waited until 3:30 you and the boys to ghow up.
IOU did not call me until 2:15 to let me thet
were just leaving IS
!1y 111 new
and p03.9ibly liver problens (had to So to the hospital
ana cannot lift head up or get out
of bed. at 1s They
cannot be used for babysitting chores! In addition,
the pick-up And drop-off are
of hand.
ldy (an =y 1s that you
buying boys (1) through HP or Dell
5299. I have like that and I told
yeu that my dad's sh.cpp.ing was done a:::ld I
nad a certificate for them ago, I told yoa that
I wI the fo:
would try to contribute towards that S299 deal in
2006.
I hope reeve of th1.9
work we do EXACtLY drc going to
do. We :espect end you: home, And the
regpect for
,
Vassell <llcvd
# 15
! 9U=e ! ehis butt
homework. Not duty homework b"t
he has !e is that Taylo: does noe
help We are trying wean Taylor
doinq tQO with Cnrist1an.
I you bringing the back on Monday.
can and we do not have reeet at you:
l{Q:ll'3.
If you don't already know, the boys got
Since you you would the
ycur share is $45Q.OG. Please let know when you
can 3e:nd
Lloyd J.
The Vassell Group
1and3cape Design and
Celluler: 510-381-1437

To: Vassell <llovd
Subject: RE: visit
Oe ; Sot. 24 Dec 2005 10:37:13 -0800 (PST)
>
the bOY3 bring 0= rainy
>and ha?e Taylor h19 b1ble.
>
>Mezry
:>Angel.l.ca
>
>--- Lloyd Vassell <lloyd wyote:
>
>
>---------------------------------
>
:>Tnat'g We will drop the boyg off aound on
>SundaYI Day. We will pick them up on Sun
>January 21 2006.
>
a great holiday
>
>
>Llayd
>
>
>!he Vassel1 GIOUp
and
510-381-1431
>
>
>
>
>
>---------------------------------
Lewls
>!o:
>Subj-ect: vi:lit
7hu, 15 Dec 2005 -0800 (PST)
> >Hi.,
> >
> >Scr=y I get back you yescerday. gelvin wa3
> >on Q trip and I to talk to
> >
> the1 off in the early in

> >would be best for rna if possible
know
> that will So, sunday afternoon to ehe
> >ollowiog Sunday afternoon.
> >
> >Angelica
> >
>>"..."'""'c-"'""',-:"--:-:c-------------------
> >Do You Yahoo!?
> >Tired Qf Yahoo! Y.ail be,e
>protection around
>
>
>
>
>
>
>
>.=:-:-:-;--;==----.-:---:-==----.-:==-
>Yahoo! for Good - Make a

Hale family outing to the California State Fair, Sacramento, August 24, 2005.
Christian Vassell, Taylor Vassell and Angelica Hale (Melvin away on business).
# 16
Angelica takes Christian and Taylor to 6 Flags Marine World in Vallejo for a family
outing, June 29, 2008.
The professional photo above was purchased by Angelica for Taylor, and for the family
scrapbook. The photos below came from Angelica's cell phone.
# 17
Hale family outing to the California State Fair, Sacramento, August 15, 2008.
Melvin, Angelica, Taylor and Christian.
# 18
Taylor and Mom
Angelica at Taylor's High School
Graduation
Vintage High School
Napa, California
June 2009
# 19
North Bay Regional Center Case
Management Supervisor, Deanna
Kirkpatrick stated in her Report to the
LA Probate Court, dated 9-19-2011
that "Angelica G. Hale is not actively
involved in the life of her son Christian
Angelo Vassell, and has not seen him
since the summer of 2008." These
photographs tell an entirely different
story, and make it crystal dear that the
North Bay Regional Center IS NOT
CREDIBLE. PERIOO.
The North Bay Regional Center has joined
with Lloyd Vassell in his relentless vendetta
against me, conducting a viscious
campaign of slander and libel to anyone
who would listen. The words and
recommendations of the North Bay
Center CANNOT BE TRUSTED.
This is why I have filed a grievance
aganst them with DDS.
<>..,_ lot c.. 0 to An Fricl.y , ,. " .. -
.., M .......,_, .t.}
, ocqojocd Wtcc""'O.. _w... 1,... __
p<i<4 __, ,poOl S9tIl ...... c""'i\il;!f.1.i6o c. _
210 lb$_ ion .. ..." 1._S6OlI. _ .... ru. be "" .
to , ..y good ropl.O""" "is."" to o1Iip '<Hlay (W''''udayl. _ you
"",. "" F,;<ay, P'OO'''' Is ,..ry II"O<l lJ1i/lg. n. Jot tOo ,etoi.. Jot "'.0"11.
Visit to see Taylor and
Christian at Nora's
house in Fair Oaks.
Date: April 2010
In March 2010, a year after the accident, State
Farm finally agreed to have the engine
repaired in the PT CrUiser, whiCh is the only
car that we own that can reliably make the
trip to and from Northern California. I drove
all the way alone from Los Angeles, wearing
a neckbrace and uSing heating pads. The two
epidurals I was given caused me to gain
weight and generally feel miserable. I was
In pain, but I wanted to have a birthday party
for Taylor, and to have Christian attend, which
Uoyd reluctantly agreed to at the last possible
moment. I drove taking breaks about once
every hour. I took Christian to the zoo, Mels
Diner and Applebys. Nora let us use her cabin,
which her and her son Ryan decorated for us.
Christian was so happy to see me! Look at
his smile.
# 20
Taylor Vassell during his winter 2010-1011 Visit with the Hale's in Los Angeles
Taylor having fun in front of the Beverty Hills sign
Taylor with Mom at Sony Pictures
Taylor with Melvin and Joey Travolta at Inclusion Films in Burbank
Taylor with Mom at Sony Pktures
Taylor watching Spiderman creator Stan Lee getting his star on the
Walk of Fame, Hollywood
Taylor with Sony Pictures Vice President Jason Clodfelter
# 21
\
'
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.
#

2
2
#

2
3
FRANK D. LANTERMAN REGIONAL CENTER
KOCH.YOUNG RESOURCE CENTER
SERVICE COORDINATION ADVOCACY TRAINING
SCAT
. '
NAVIGATING THE SPECIAL NEEDS SYSTEM
CERTIFICATE OF COMPLETION
Presented to
J
Angelica Hale
-
For completion of the May and June 2011

LANTERMANREGIONAL CENTER KOCH+YOUNGRESOURCECENTER SCAT training.



Rose Assistant Director
KochtYoung Resource Center
Edwa ere. Speciaiist
KochtYoung esource Center
# 24
______...:....__...:....N::O::R.:.:M.:::.A::L__-.,...--:..:A::B:..:N::OR.:.:M.:::.A:::'-: _
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Ears
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Mouth and Orocnarynx
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# 25
HOlT.<: ) SUreh ,
Property Detail
It-&I'n mOIL' "bout Arl\t'rkan Can)'oll. ell
,
J P,opMyO"'iI' _
Sho<' CJ iJ ." Ic::! ,.,,,. Ill'"
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1&57 CI
':.1lrtitld, CS\ 9453-4
$370.0:>0
Similar
Viewed
51611fllf)CbS C31\)'Qn
h\;!lIbu. CA S02GS

IVIE.M,lil 6J S<lye 8 Print
B3sle Inform3tlon
Price: $371,280
Type: F3muy
(kJdrooms; 5
Dalhrooms: ),;'ull
SQU\1re Feci: 330'
Year Dulll:
County: N3P<1
MlSIO: 21112325
h

SJle Pending
<Prey 10(9 Next>
7 Redhead 51
American Canyon, CA 94503
<
\lilY,',' PMW.
Sanr: Be<lloom heme .. 3.301 ScI Ft. 2 S:Cf'J ',\1>11 FreSh 1r.:er!OI Pallt and a 3Cat Q,aJaoe. Ce.'lttal Heal ar:d
A'1:, Granr.e Cot!ntefs,
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# 26
l OFF MARKET J
358 Saint Andrews Drive, Napa CA 94558
Home Facts c Map & if Refinance \: Comparables
l II "
Sales Trends Schools
__
k.l!;::s DrNL
AdCren G appr.:lXi<r.9:e
last sale: $1,095.000 on Gee 20115 .
Status: Off Market
Bedrooms: 3
Bathrooms: 4
Property type: Single Family Residential
Size: 2,801 sqft
Lot: -
Pri(:elSQl'l:: $3911"lt:
Year built 1969
Nearby School: Vichy Elementary.. NaliWI !>:;lloo!J
Zip: 94558
c!VlewAl13 Credit Scores Instantly!
Edit hOme facts} Gt Follow home E+ Share .... 1More
Ce!>crip:;Orl provde:l bylnJti,
This is a Single-Family Home located at 353 Saint Andrews Drive, Napa CA. 353 Saint Andrews Dr has 3 beds, 4
baths, and approximately 2.801 square feet. The property was bum in '969. The average list price for similar hOmes
for sale is 5608,242 and the average sales price for similar recently sold homes is S673,927. 358 Saint Andrews Dr is
in the 94558 ZIPcOde in Napa, CA The a'leraoe list plice for ZIP code 94558 is 51,022.017.
!!f!p;_Make your house hunt mobile Get Trulia's mobile apps for FREE iPhone I iPad I Android
Public Records for 358 Saint Andrews Dr
Official property. sales, and tax information from counly (publiC) records as of 0712010:

Single Family Residential



3 Bedrooms
4 Bathrooms

2,80i SQft

Lot Size: 0.34 acres

Built [n 1969

Ale

Heating: Central

Par1<ing
Parking Spaces: 2

8 Rooms

Conslruction: WoOd
Fireplace

County: Napa

Tax Rate Code Area: 72-046
"'_." __ "'__ ..,c... -'_ ."., _
..1\1:< ".'fA 'A "".." ".. ",.."e,." .. __ _. 'I . 1 '.-__ _.r _., __ ._.
358 Saint Andrews Dr Napa, CA 94558
MlS#:20811653
listed at: $1,980,000
Price per sq ft.: $707
Property Highlights
Bedrooms Bathrooms
4 3
Square feet Lot srze
2:,801 0,340
HOA Fees Year built
51 1969
Pool
No
Taxes
"II"
Davs on market
1142
Parking information
fol/A
Lot description
NIA
358 St. Andrews Drive
and Amenities ...
proach
Landscaped front garden w!paths
Private redwood grove and sitting area
Street-front olive hedge
Itrance
Custom glass doors lead into foyer
Extra wide hallways with gallery walls
"ing Room
Vaulted knotty pine, natural ceiling with open beams
Clerestory windows
Granite fireplace and entertainment center
Built-in wood bookcases
Bose built-in surround sound svstem
Chef's Kitchen
Granite dine-in bar/island seats 8
Granite counters and backsplash
All maple cabinets and drawers with self-close feature
All lighting in kitchen and dining area on dimmers
Deep dual stain less sink
Large windows w!garden view
Walk-in pantry with pocket sliding glass door and stainless shelving
Thermador stainless gas range and hood w/convenience water fill
Thermador stainless built-in double oven
Stainless convection microwave
Frigidaire built-in (counter depth) double refrigerator and freezer
Stainless built-in under counter bar refrigerator
Viking stainless 150-bottle wine captain
U-Line stainless built-in ice maker with water filter
Stainless white wine cooler
2 Bosch stainless dishwashers
Bosch stainless trash compactor
Deep stainless island sink
2 Kitchen Aid disposals
A n r g
lundry Room
220 V wiring
Gas
New Bosch washer & dryer
Slate floor
Window counter and storage
Jd Room
Slate floor
Large half-bath
lrage
2car
Golf cart
Imlly Room
Anderson Dual Pane French Sliders
Clerestory windows
Granite fireplace
Stainless ceiling fan
ning Room
Formal
Anderson Dual Pane French Sliders
!drooms
4 Bedrooms: 1 private master suite, 3 guest rooms
Master wl2 walk-in closets and Anderson Dual Pane French Sliders
lthrooms
Full Bathrooms: 3
Half Bathrooms: 1
Master bath wI marble shower, double glass doors, separate air jetted tub and dua
sinks
Guest bath w/marble shower, double glass doors
Additional guest bath wI Corian shower and vanity
Half bath wlslate floor, large mirrors, unique pedestal vanity and sink
IC-k Yard
Completely fenced yard
Wrap-around redwood deck
Lawn and trees
Hot tub
oors
Italian porcelain tile (faux bois) throughout foyer, living room, kitchen, family roor
Slate in mud room, laundry room and half-bath
dining room, guest bath and hallways
Carpeted bedrooms
ghting
Soffit and recessed lighting on dimmers in living room, kitchen, family room, dinin!
room and halIways
Clerestory windows bring natural light into kitchen/family room, living room and
hallways
lAC
New, natural gas multi-zone central heat and air
2 granite natural wood burning fireplaces
ructure
Exterior: Wood Siding
Roof: Composition
Lot Description: Level/Regular
Style: Post-modern Contemporary
lergy Conservation
Ceiling Insulation
Anderson Dual Pane French Sliders
Wall Insulation
:i1ities
Cable TV Available
DSL Available
Wireless Internet Available
Natural Gas
PG&E
Water Source: Water District
Sewer/Septic: Sewer Public
sIgn in I create an ao

.. search - ... my hotpads ... answers ... resources
Photos of 358 St Andrews Drive, Napa, CA 94558 Napa, CA
Click iI to see the full sIze ,millle
Of about 3SS 5t Andrews On... e. 1'<<10<1. ell, 9<:.sse Nl!oa. CA - .: beds: $1.065.000
1 of 5
--- On Sat, SnS/ll, Lloyd Vassell <lloyd_vassell@)rotmail.com>wrote:
From: Lloyd Vassell <lloyd_vassell@hotmail.com>
Subject: ,I I \
To: reefresh@yaboo.com (Mdv,o nO! e)
Cc: Ipayne29@hotmail.com, "Vickie Hall" <vickie.hall@pldcss.ca.gov>
Date: Saturday, May 28, 2011, 2:03 PM
You really are as stupid as you look!! I don't need to tell you anything BUT...
1) we are renling. Yes, we had some set backs but we are still paying for his school. What
about you?
2) SSI claimed he was not disabled not me! He hasn't gotten money in 1.5 years!
3) If I attacked him with a hammer, how come the Sheriffdid not see ONE bruise.
4) 1do not have to tell you anything regarding our lives. I can move anywhere without your
Pf permission
5) Your still a pompous ass.
Lloyd J. Vassell
Cell: (510) 381-1437
27
# 27
PLACER COUNTY
DEPARTMENT OF
CHILD SUPPORTSERVICES
o 11795 EdIlUlton St., Suile 101
Auburn, CA 9S602-24S4
5301889-noo Fax S3<YU9-5749
Toll BnI98&.S700
o P.O. Box 910
:ins N. Uke Shod..
C3mclian Bay, CA 96140-{/970
S)0IS1l6-1940 Fax S3OfS46-1949
PAMELA MCMANiS
Dlreoctor
- .-- .-
TIDS IS AN NOTICE - A, R,ESPONSE!S REQUIRED
FEDERAL LAW PERMITS INTERCEPTION OF FEDERAL INCOME TAX REFUNDS TO
SATISFY CHILD SUPPORT ARRJj:ARAGE IN NON TANF CASES. YOUR CASE WILL BE
SUBMITTED FORBOTH FEDERAL AND STATE TAX INTERCEPT IFYOU REQUEST
CONTINUED CHILD SUPPORT ENFORCEMENT. YOU ARE DIRECTEDTO SIGN AND
RETIJll,N rmSFO:ItM IN ENCLOSED SELF ADDRESSED STAMPED ENVELOPE
WITHIN Fin EENDAYS.
OBLIGORNAME I.!&V V"'-'55e// CASE NUMBER 8333
ARREARS AMOUNTS J.z48,<j'!AS of-7'ph
,
If an offset is made on mybehalf,lbe CSS has the aulbority to hold Ibe refund (ifit involves a joint
return) up to six months before sending the collection to me. I understand that ifI received TANF in
the past. any Sl!pport owed to reimlJwse TANF will be collected first. It is ppssible that
money1 receive through the intercept program will have to be returned 'in the .event that it was
erroneously sent to me or iftheuhligor or their current spouse file an amended return and the IRS
returns the money to them. These negative adjustments can be made within a six-year period. I agree
that if! am told thifllie moneylrecelved mustbe paiciback"CSS"will me to repay it:"" I ---"
under.stand that if I dOD't retUrn the money, Iegal action may be initiated -against -me.
I have DOt been paid any or all of the_above stated arrears directly fr-Om the obligor and I have
Dot compromised or: forgiven them.
# 28
VALU1t L..Of.'

01:0. cOOIl
PL..CER COUNTY SHERIFF{CORONER'S OEP..RTM"EN"T ....""........ _
31 00
CRIME/INCIDENT REPORT s.o, ,..;

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AOOR
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REs
AggITIO>l ... L VEN'CLfE 'S1i: AOOITlptoAL SU$PICT V"HICLE: ",tPOItT ATTACH"OI
SECTION

LOCATION OF o<;CUIIlIlle:NCII;: TI0.4E 0.40 O"'V


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...PLItTII: REPORT IN TNt' '''ACII:. OR ,

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# 29
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-

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PLACER COUNTY SHERIFFICORONER'S OEPARTMENT
CONTINUATION REPORT
OSUPP1..(IolENTAIlY afOLlOWUP
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IN TIlE JUSTlCFJMUNICIPAL COURT OF TIlE STAn OF CALIFORNIA
FOR THE COUNTYOF PLACER
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THE PEOPLE FOR THE STATE OF CALIFORNIA. NO,
Plaintiff,
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I, the undersigned. say and declare:
I amemployed by the ?4tc? t:?e. Cf),
I _bIy beliew that Ibae is probIble _ 10 _ the Ibove DIlIMlC! iDdh-idul(s) f
violation(s) described on die auached A!rcIt Report. My belief is buecI upclIl ........s
iDfonna1ion contained within die Anal Report, whidJ is allac'hed bereao aad iDcoipw* d '
ref_as if set forth tuny herein.
I bereby declare under penalty of perjUIy that I have read die Ibove tepOOt and kaowI
COIIleIItSthereof. and that die same is true ofmy knowledae. elllllpt as 10die mlbn1benlID....
upon informationand belief. and as 10 lbose ma...1beIleve Ibem10 be lnIe.
WHIlREPORB, yQUl' dec1arant pray. die court fiDd pnabJe _ fw... anal of II
defendant(s). who may dIeD be dealt with accontinIlOJaW.
ExecutedOl1 ...5'- Z at ;9(,.#t.J',./, tf'J,4
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Alameda County Social Services Agency 1
Children & Family Services
PO Box 12677
Oakland, California 94604-2677
Sharon Levitt
(510) 268-2901
C243
DSS No. 0281642
SUPERIOR COURT OF CALIFORNIA
COUNTY OF ALAMEDA
600 Washington, Oakland, California 94607
. DETENTION REPORT
Hearing Date
05103/2001
Hearing Time
01 :45pm
Dept./Room
132
Hearing Tvpe/Subtvpe
Detention 1300; Detention 1300
Dl THE MAITER OF
Name
Taylor Vassell
Christian Vasselt
SUMMARY RECOMMENDAnON
DatenrBirth
04/17/1991
0813111993
Age
10
7
Proposed recommendation is that the minors be detained in the home of the father and that the Court
order the father not to use any type of physical discipline on the minors.
CHlLDfREN)'S WHEREABOUTS
On 4/30/0 I, a police hold was placed on Taylor Vassel! and a Children's Protective Service hold was
placed on Christian Vassell and the minors were hospitalized at Children's Hospital. Although the
minors were ready for discharge on 511/01, Children's Hospital agreed to allow the minors to remain
in the hospital untilS/4101(until the completion or the Detention Hearing).
Coftficlenti.l in . c c o r c b n ~ t ....ilh Pena!
Cocle $e<:';I)I'I\1167.' and/or \VIC
$IiQl'ls 817 mel 101'0.
Detention Report
05/03/2001
# 30
Taylor Vassell. et a\
PATERNITYILEGAL RELATIONSHIPS
The mother and father were married at the time of the births of the minors, and the father and mother
state that Mr. Vassell is the father of the minors.
CRIMINAL CHARGES:
This matter is under investigation with the Oakland Police Dept. As of 513/01 the Youth Services
Division ofthe Oakland Poiice had received no police report and the case was not assigned to
anyone.
PARENTSICARETAKERS SITUATION AND THEIR STATEMENT:
The father admits that he u ~ corporal punishment on Taylor on 4129/01 due to the minor lying to
him about doing his home\\uk. The father states that after a visit with the mother on the weekend of
4121/01. Taylor was defiant. talked back to him. and generally would not listen. The father finally
became upset enough on Sunday evening. to discipline Taylor by hitting him with a belt. The father
denies that he hit Taylor on the face or caused the bump on the minor's forehead. He states that the
minor ran into another room at home to get a dictionary. The father heard a noise and went to the
room and Taylor had fallen down. The father did not notice any bump on the minor's head. but
Taylor stated that his head hurt. The father asked him if he wanted an aspirin. and the minor said that
he was fine.
The father denies that he hr.s Taylor with a belt on a regular basis, but does admit that he hit him one
or two times with a belt two to three years ago. He admits that he has taken his belt off and
"challenged the minor with the belt. but says he has used his hand to spank him in the past. The-
father denies that he ever hit the minor, Christian, with a belt. He does admit that he has "popped-
him on his buttocks and told him to go to the bathroom when he urinates in the bed.
The father states that he has been caring for the minors since 6/10/99 when he got then, out of a foster
home (actually it was a respite home placement through the Regional Center). The father states that
the mother abandoned the minors on 4/17/99 and moved to Virginia with her new husband. The
father has been caring for them ever since then and has fought for special services for the minors.
When the mother was caring for the minors, the father had weekend visits with them. The father has
kept medical appointments for the minors and specifically for Christian who has sickle cell disease
and needs transfusions every month. Both minors are autistic and need. 24hour supervision.
Recently the father lost his housing (owner ofthe home took over the home for himself) and the
father and the minors have moved into the father's girlfriend's home. The father was employed at Sun
Microsystems but is presently attempting to begin his own company. Christian is scheduled for a
bone marrow transplant in 6/01 with Tayler as the bone marrow donor and arrangements need to be
made of this very serious o?eration. In other words, the father is under a great deal ofstress at this
time and lost his temper wi:h the minor on 4n9/01.
Detention Report
05/0312001
4
-707-256-1230
04: 14:23 p.m. 09-19-2011 3 flO
COUNTY OF LOS ANGELES
SUPERIOR COURT OF CALIFORNIA
1 Deanna Kirkpatrick
Case Management Supervisor
2 North Bay Regional Center
10 Executive Cl
3 Napa, CA 94558
Telephone: (707) 256-1280
4
5
6
7
8
9
10
11 Limited Conservatorship ofthe Person of: Case No.: 6P 130 I.r5
12 REGIONAL CENTER REPORT
(Probate Code 1827.5)
Hearing Date: September 26, 2011
TIme: 10:30 a.m.
OeDartment: 9
13 CHRISTIAN ANGELO VASSELL
14
1511 --l
16
17 NORTH BAY REGIONAL CENTER (NBRC), case management agency for the State
18 Department of Developmental Services, hereby submits the following Report pursuant to
19 Probate Code 1827.5. This Report is based on standardized psychological tests administered
20 to Christian Angelo Vassell, and observations made by staff of NBRC, who have assessed and
21 evaluated him.
22 I. DEVELOPMENTAL DISABILITY
23 Proposed Conservatee Christian Angelo VasseU is 18 years of age. Mr. Vassell
24 has been diagnosed with autism.
25 Below is a summary provided by NBRC Psychologist, Todd Payne. Psy.D:
26 Christian was originally diagnosed autism by Dr. Richard Umansky at Children's
27 Oakland in December of 1995. Jayson Wilkenfield did a follow-up evaluation in March
28 of 1997. He noted social communication deficits consistent with a diagnosis of autism, but the
# 31
1-707-256-1230
04:14:35p.m. 09-19-2011
4/10
1 degree of autistic-like stereotyped behavior was mild, and would require a fairly "liberal"
2 application of the diagnostic criteria for a diagnosis of autism. However, treatment designed
3 for children with autism was recommended. SUbsequent school evaluations in 2002, 2004
4 and 2007 all describe Christian as having autism. The descriptions of Christian's skills and
5 behavior were limited, but consistent with children who are diagnosed with autism.
6 Christian was also classified as having Mild Mental Retardation (Intellectual Disability)
7 by Alta Regional Center in 1995 because developmental testing had indicated global delays.
8 However, subsequent testing done by the school in February of 2004 and March of 2007,
9 indicated that Christian has some visual spatial skills inconsistent with a diagnosis of Mental
10 Retardation. Test of verbal reasoning skills were still in the very low range in 2007. This
11 pattern of cognijive skills is common though not necessarily specific to children who have
12 autism. Overall, the available records indicated that Christian is most likely to be accurately
13 characterized as having autism, but not Mental Retardation.
14 PLACEMENT HISTORY
15 Angelica G. Hale, Mr. Vassell's biological mother, is requesting this Conservatorship
16 on her son, Christian Angelo Vassell. Christian lived with both parents, Lloyd Vassell and
17 Angelica Hale, from birth until their separation in 1997. After his parents' separation, Christian
18 lived primarily with his mother, Angelica Hale. His father, Lloyd Vassell, had weekly visitation.
19 However, in April of 1999, Angelica Hale placed Christian and his older brother in foster care
20 when she moved out of state with her current husband, Melvin Hale, without his father's
21 knowledge. From April of 1999 to June of 1999, Christian lived in the Alderson Small Family
22 Home. His father removed him and his older brother from foster care in June of 1999. Christian
23 continues to live full time with his father, Lloyd Vassell and his stepmother, Lauren Vassell.
24 II. PROPOSED CONSERVATEE'S DEGREE OF DISABILITY
25 Christian Angelo Vassell has autism. He is unable to provide for his own needs of food,
26 shelter, clothing and health care.
27 Mr. Vassell possesses many skills for independent living. With minimal prompting
28 needed, he is now able to take care of his basic hygienic tasks such as bathing, brushing his
1-707-256-1230
04: 14:53 p.m. 09-19-2011 5J10
1 teeth, washing his face, and toileting. One of Mr. Vassell's strengths is his ability to cook.
2 He can prepare many items independently in the kitchen and is well aware of the dangers of
3 hot or sharp objects and what he is able to prepare on his own and when he needs to be
4 supervised.
5 Mr. Vassell participates in chores in the home such as unloading the dishwasher, making
6 his bed, and assisting with his laundry. He will independently bring his laundry to the laundry
7 room if he realizes that he has run out of something.
8 Mr. Vassell needs direct verbal prompting and responds well to clear directions when
9 repeated. He struggles to respond verbally but can respond well to written instructions or
10 questions. He accurately responds to the requests of others if he can write his responses
11 down on paper. When asked questions spontaneously, Mr. Vassell will struggle to find the
12 answer and often prefers to answer simple "yes or "no" questions orally. He cannot
13 comprehend certain questions if the question is more abstract.
14 Mr. Vassell's safety awareness has improved, but he is still working on certain things to
15 increase his safety awareness. He is more aware of the traffic when walking on the sidewalk.
16 He can tell you his name, phone number and where he lives. Lloyd & Lauren Vassell are not
17 yet confident that he would knowwhat to do in case of an emergency and feels it is to his
18 benefit that he is with someone at all times.
19 Mr. Vassell has a large support system which includes his maternal grandparents, his
20 father and stepmother, Lloyd & Lauren Vassell, school staff, his r e s p ~ e worker, a number of
21 family friends who live in the area, and a large extended family.
22 III. SUMMARY
23 It is the recommendation of NBRC that the petition for establishing a Limited
24 Conservatorship of the person of Christian Angelo Vassell be Denied. This petition is brought
25 by Mr. Vassell's biological mother and not by his biological father, with whom he resides.
26 However, NBRC will respond to each of the powers below:
27 The response of NBRC to each of the powers requested by the proposed Limited
28 Conservator is:
1-707-256-1230 04:15:10p.m. 09-19-2011 6110
1 (1) The power to fix the residence or specific dweliing of the proposed Limited
2 Conservatee.
3 NBRC recommends that this power be DENIED.
4 When Mr. Vassell was given the choice, by this writer, of whether he preferred living with
5 his father and stepmother, Lloyd & Lauren Vassell, or with his biological mother and stepfather,
6 Angelica and Marvin Hale, he stated that he wanted to live with Lloyd & Lauren Vassell. He
7 said he liked his home and he liked his room. Mr. Vassell's capacity to independenUy select
8 a place of residence is limited by his inability to discern whether or not a particular residential
9 placement meets his individual needs. However, Mr. Vassell has cleariy stated that he wants
10 to continue living in Lloyd & Lauren's home and that he likes it there. Mr. Vassell also has a
11 very large support system who would be able to assist him in the event he needed to move
12 or that he wanted to move, who would explain his options and provide information in a format
13 that he can understand in order for him to make a decision that he would be happy with and
14 that would be appropriate for him.
15 (2) The power to have access to the confidential records and papers of the proposed
16 Limited Canservatee.
17 NBRC recommends that this power be DENIED.
18 When asked by this wmer who he would like NBRC to release information to, Mr. Vassell
19 stated that NBRC could speak with Lloyd & Lauren Vassell and Napa Valley Unified School
20 District. Mr. Vassell was also asked if this writer could share information with Angelica and
21 Melvin Hale and Mr. Vassell stated that he did not want NBRC to share information with
22 Angelica and Melvin Hale.
23 Mr. Vassell continues to live with Lloyd and Lauren Vassell and is always accompanied
24 while in the community. Although Mr. Vassell may not understand if not approached in a way
25 that he can comprehend and there is a chance he can be manipulated, Mr. Vassell is never put
26 into siluatians that he would be able to be manipulated or allowed to make decisions that would
27 be harmful to him.
28 Because Mr. Vassell has such a large support system and is always accompanied in the
1-707-255-1230
04: 15;27 p.m. 09-19-2011 7110
1 community by a relative, trusted friend or slaff, there is a tow risk of him making inappropriate
2 decisions that could affect him negatively.
3 (3) The power to consent or withhold consent to the marriage of the proposed Limited
4 Conservatee.
5 NBRC recommends that this power be DENIED.
6 Mr. VasseJl does not interact with many of his peers at school; however, he does have
7 many friends through his extended support system with family and friends. Mr. Vassell has
8 not displayed any behaviors that would cause concern in this area.
9 Mr. Vassell does not have a history of making rash decisions and due to Mr. Vassell's
10 extensive support system; there is a low risk of Mr. Vassell making inappropriate decisions
11 that could affect him negatively in this area.
12 (4) The power to control the right of the Limited Conservatee to contract.
13 NBRC recommends that this power be DENIED
14 Mr. Vassell is not capable of understanding the implications of contracts or contnactual
15 obligations which he might incur on his own behaff Whe is not approached in a way that he
16 can comprehend. However, when Mr. Vassell was asked by this writer what he would do W
17 he did not understand something, Mr. Vassell responded that he would ask for help from Lloyd
18 Vassell, Lauren Vassell or Ms. Sara Sammariba, his 1:1 aide at school.
19 Mr. Vassell conlinues to live with Lloyd and Lauren Vassell and is always accompanied
20 while in the community. Mr. Vassell is never put into situations that he would be able to be
21 manipulated or allowed to make decisions that would be harmful to him.
22 Because Mr. Vassell has such a large support system and is always accompanied in
23 the community by a relative, trusted friend or slaff, there is a low risk of Mr. Vassell making
24 inappropriate decisions that could affect him negatively.
25 (5) The power to give or withhold medical consent on behalf of the proposed Limited
26 Conservatee.
27 NBRC recommends that this power be DENIED.
28 Mr. Vassell has the abiiity to recognize personal injury, but cannot accurately express
1-707-256-1230 04: 15:54 p.m. 09-19-2011 8110
1 pain or discomfort, or to seek appropriate medical services. Mr. Vassell is not capable of
2 determining independently his heallh maintenance needs, especially if the decision involves
3 administration of medication, surgery or other medical procedures.
4 When asked by this writer what he would do Whe was injured or sick, Mr. Vassell said
5 that he would tell Uoyd or Lauren Vassell.
6 Mr. Vassell doesn't always know howto verbally express himseff; however, Whe is
7 around people that are faniiliar with him, he will display behaviors that indicate that something
8 is wrong. For example, he may pace or walk in and out of a room until he is asked if everything
9 is alright. Mr. Vassell will say Whis head hurts or if he has a cut that needs to be taken care of.
10 Mr. Vassell is healthy and there are no medical concems at this time. Mr. Vassell would have
11 difficulties making major medical decisions if needed; however, Lloyd & Lauren Vassell are very
12 involved as well as a large extended support system and NBRC who could assist with medical
13 guidance as needed.
14 (6) The power to control the education of the proposed Limited Conservatee.
15 NBRC recommends that this power be DENIED.
16 Mr. Vassell is a senior at Vintage High School in Napa. He attends regular education
17 classes except for Directed Studies, which he is offered extna assistance if he needs help
18. understanding assignments from his other classes. Mr. Vassell does very well in school and
19 generally receives all A's & B's and is on the honor roll. He has been involved in making
20 decisions about his education, and chooses his own electives, which this year included
21 ceramics and cooking. Mr. Vassell has a 1:1 aide that is with him throughout the day for
22 prompting to keep Mr. Vassell focused and explains information that he may have difficully
23 understanding. Mr. Vassell has passed the Math portion of the Calffornia High School Exit
24 Exam (CAHSEE) and will be retaking the English portion. Mr. Vassell is on track to graduate
25 with a diploma in the spring of 2012. Mr. Vassell would like to attend the culinary program at
26 Napa College so he can learn the skills to get a job in a kitchen.
27 On September 7, 2011, an Individual Educational Plan (IEP) was held to discuss Mr.
28 Vassell's goals for his final year. The meeting was cut short because Napa Unified School
1-707-256-1230
M:16:13p.m. 09-19-2011 9110
1 District did not realize that Mr. Vassell had turned 18 the week before and being an
2 unconserved adult needed to attend the meeting. Prior to the IEP ending, Mr. Vassell's
3 biological mother and stepfather, Angelica and Marvin Hale, who had joined the meeting by
4 phone, were adamant that Mr. Vassell should not receive a diploma and should remain in
5 school for post secondary education. Angelica and Melvin Hale insisted that Mr. Vassell
6 could not make the decision about his education and they would appeal the decision of him
7 graduating wtth a diploma, even though Mr. Vassell has the grades and units to graduate.
8 Since Mr. Vassell is an unconcerved adult, it is also his decision to decide who attends
9 his future IEP meetings; his next meeting was scheduled for September 13, 2011. Immediately
10 following the meeting Mr. Vassell's case worker from Napa Valley School District, Ms. Laurie
11 Paisley wrote down everyone who had attended the meeting on September 7,2011 and added
12 his 1:1, Ms. Sara Sammariba. Mr. Vassell marked that he wanted everyone in attendance
13 except for Angelica and Melvin Hale, his biological mother and stepfather. When Mr. Vassell
14 was asked if he wanted to mark Angelica and Melvin Hale so that they could attend, Ms. Laurie
15 Paisley reported that Mr. Vassell adamanUy said "No".
16 (7) The power to control the Limited Conservatee's social and sexual contacts.
17 NBRC recommends that this power be DENIED.
18 Mr. Vassell has many friends through his extended family and family friends. He is
19 also attending a Friends Club through a behavior agency where he learns appropriate social
20 interactions. Mr. Vassell's 1:1, Ms. Sara Sammariba from Napa Valley Unified School District,
21 also works with Mr. Vassell on appropriate behaviors with peers. For example, if a g i ~ is
22 wearing something revealing and Mr. Vassell stares at her, Ms. Sara Sammariba will redirect
23 him to appropriate eye contact. It has been reported that Mr. Vassell will now correct himself
24 when he finds himself staring at a g i ~ and that his behavior is age appropriate. Mr. Vassell
25 likes to be around typically developing peers and is very social. There have been no reports
26 of concerns with Mr. Vassell's social or sexual interaction.
27 Due to Mr. Vassell's extensive support system and always being supervised in the
28 community there is a low rtsk of him having inappropriate social or sexual relationships.
1-707-256-1230 04: 16:33 p.m. 09-19-2011 10110
1 NBRC respectfully urges the Court to deny Petitioner's request for the power to control
2 Mr. Vassell's social and sexual contacts. NBRC maintains that granting said power would be
3 a violation of fundamental constitutional and statutory rights of the Conservatee.
4 IV. RECOMMENDATION REGARDING PETITIONER AS LIMITED CONSERVATOR
5 Angelica G. Hale is not activeiy involved in the life of her son Christian Angelo Vassell
6 and has not seen him since the sumr:ner of 2008. Ms. Hale lives in los Angeles and has only
7 recently shown an interest in Mr. Vassell. Ms. Hale does no(participate in her son's day-to-
8 day life and has not been involved in his life for the past several years.
9 In addition, Mr. Vassell has been clear that he would like to continue to live and receive
10 support from his father and stepmother, Lloyd and Lauren Vassell, and pursue his goals that
11 Lloyd and Lauren respect and encourage.
12 This writer explained to Mr. Vassell that Angelica G. Hale wanted to be his Censervator
13 and make decisions for him. He was asked if he would like Angelica G. Hale to make decisions
14 for him and he responded "No". Mr. Vassell was asked who he would want to make decisions
15 for him and he responded, 'I want to make my own decisions".
16 NBRC does not support Mr. Vassell being conserved or Angelica G. Hale being his
17 Conservator.
18 V. CONCLUSION
19 Based upon the foregoin9. North Bay Regional Center recommends that:
20 (1) The proposed Conservatorship be denied in entirety. Given the extended
21 support system that Mr. Vassell has, and his ability to express his opinions If asked in a way
22 he can understand, Mr. Vassell can make decisions on his own behalf.
23 Respectfully Submitted,
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.. dv
anna Kirkpatric
Case Management Supervisor
North Bay Regional Center
Dated: _

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