Dilampirkan salinan semula dokumen tuntutan dari seorang wanita Serani terhadap Rahim Tamby Chik  pada tahun 1985 sebagai peringatan kepada Rahim Tamby Chik yang menjadi salah seorang dalang konspirasi menjatuhkan DSAI. ~C.I.A REFORMASI. 

IN THE HIGH COURT OF
MALAYA AT MELAKA
CIVIL SUIT NO      OF 1985
 
BETWEEN
JOSEPHINE DORIS NUNIS        … PLAINTIFF
AND
DATUK SERI RAHIM THAMBY CHIK … DEFENDANT
 
 

STATEMENT OF CLAIM
 

1. The plaintiff is a spinster residing at No. 33 N, Jalan Bandar Hilir, Melaka.

2. The defendant is the Chief Minister, Melaka.

3. The plaintiff first met the defendant at Melaka Strait Inn in early 1982. The plaintiff was then working at the Melaka Strait Inn as a hostess.

4. The defendant befriended the plaintiff and used to take her out to various places including Federal Hotel Kuala Lumpur, Ming Court, Port Dickson, Banglo Kerajaan, Tanjung Kling, Melaka, the defendant’s residences at Paya Ikan and Masjid Tanah, Melaka.

5. In early 1982 and on several occasions thereafter the defendant promised to marry the plaintiff.

6. In reliance upon the said promises, the plaintiff allowed the defendant to have sexual intercourse with her on various occasions at the places mentioned in paragraph 4 herein.

7. In August or September, 1982 the defendant requested the plaintiff to resign as hostess. The plaintiff duly complied with the request.

8. The defendant presented the plaintiff with a diamond ring, a watch and a camera.

9. On or about 10th March, 1984 the defendant broke off from the plaintiff without any reasonable cause. A few months later the plaintiff saw the defendant at his office and requested him to keep his word by marrying her. However, the defendant refused to relent.
 

10. The plaintiff was ready and willing to marry the defendant. However, in breach of his promise to marry the plaintiff, the defendant has refused to marry her.

11. As a result of the defendant’s acts, the plaintiff has suffered humiliation and mental anguish and has suffered loss and damage.

WHEREFORE the plaintiff prays for:-

(a) Damages;
(b) Costs and
(c) Any further or other relief
deemed fit and proper by
the Honourable Court.
 

Dated this 12th day of September, 1985.
 

                                           (Signature)
…………………………………………………………………………
Solicitors for the plaintiff
 

This statement of Claim is filed by Messrs Karpal Singh & Co., solicitors for the plaintiff abovenamed, whose address for service is at No. 67, 1st Floor, Jalan Pudu Lama, Kuala Lumpur.