It was the damsest thing, I was woken up and these surveillance people seem to think they know my fetishist desires... like torture interference 

2201.Intentional Interference With ContractualRelations - Essential Factual Elements[Name of plaintiff] claims that [name of defendant] intentionally interferedwith the contract between [him/her/nonbinary pronoun/it] and [name ofthird party]. To establish this claim, [name of plaintiff] must prove all ofthe following:1. That there was a contract between [name of plaintiff] and [name ofthird party];2. That [name of defendant] knew of the contract;3. That [name of defendant]’s conduct prevented performance ormade performance more expensive or difficult;4. That [name of defendant] [intended to disrupt the performance ofthis contract/ [or] knew that disruption of performance wascertain or substantially certain to occur];5. That [name of plaintiff] was harmed; and6. That [name of defendant]’s conduct was a substantial factor incausing [name of plaintiff]’s harm.

---------- Forwarded message ---------
From: Gunnar Larson <g@xny.io>
Date: Tue, Feb 20, 2024, 4:15 AM
Subject: CACI No. 2201. Intentional Interference With Contractual Relations - Essential Factual Elements :: California Civil Jury Instructions (CACI) (2023) :: Justia
To: <cypherpunks@cpunks.org>


A few years ago, xNY.io - Bank.org's  business pipeline in Orange County became familiar with California's CACI No. 2201. 

https://www.justia.com/trials-litigation/docs/caci/2200/2201/