We represent Mr. Cauvin, we are prepared to commence litigation against you and your business for damages, injunctive relief as well as causes of action that prohibit defamation, and threats of violence that can be implied by your e-mail asking how Mr. Cauvin’s son is doing. The uninvited post and defamatory statements about Mr. Cauvin are efforts to harass.
In addition, The outrageous effort and continual updated posts of Mr. Cauvin and family members, is clearly intended to cause extreme emotional distress and fear of physical harm and violence, This criminal behavior which is consistent with the information that is known about you. Your years long of harassment and threats against Mr. Cauvin and family members proves your intention to cause harm.
Defamatory words spoken of a person which, in themselves, prejudice him in his profession, trade vocation, or office are slanderous and actionable per se. Miles v Loiuis Wasmer, Inc., 172 Wash. 466, 20 P.2.d 847 (1933) “Where a defamation is actionable per se, and neither truth nor privilege is established as a defense, the defames person is entitle to substantial damages without proving actual damages. “Michielli v. U.S. Mortg. Co., 58 Wn.2n 221, 361 P.2d 758 (1961).
The uninvited solicitation and continued harassment may constitute tortious interference with business relations, which can result in further claims for damages. See Leingang v. Pierce County Medical Bureau, 131 Wn.2d 133 157, 930 P.2d 288, 300 (1997).
Mr. Cauvin is prepared to prove that you have violated your legal duties while representing him as a client, during your brief period as a realtor. We are also prepared to show that you have tortuously interfered with his business relationships and associates. Finally, the evidence we have clearly shows you have engaged in a lifelong campaign of online and in-person defamation, against Mr. Cauvin and associates. The new emails of threats and blackmail are addition potential complaint we will include.
We demand that you immediately cease and desist any further threatening and harassing actions and cease and desist any communications with any friends and family. We also demand that you remove all mention on Mr. Yves Julian Cauvin and any associates connected to Mr. Cauvin, on current website www.allreaders.net and other websites. Additionally, you must cease and desist making any defamatory statements about Mr. Cauvin and his family, whether online or in any other forum. Finally, you must remove all postings no later than 5:00 PM Wednesday February 1, 2017.