Table of Contents:
  • <p>This <a title="NOTICE OF INTENT TO SUE" href="https://www.samuelmartinezroque.com/mart%C3%ADnez-roque-v-ontiveros/attention-ramon-ontiveros-notice-of-intent-to-sue-262026" target="_blank" rel="noopener noreferrer nofollow"><strong>NOTICE OF INTENT TO SUE</strong></a> includes supplemental notices regarding <strong>I. ADDRESS CONFIDENTIALITY AND VICTIM PRIVACY</strong>, <strong>II. DOCUMENTATION METHODS AND CONTROL OBSERVATIONS</strong>, <strong>III. REDACTION OF ALLEGATION LIST,</strong> <strong>IV. MATTER OF PUBLIC RECORD</strong>, and <strong>V. LEGAL REPRESENTATION</strong>. <a title="Ramon Ontiveros" href="https://about.me/ramonontiveros" target="_blank" rel="noopener noreferrer nofollow">Ramon Ontiveros</a> and all parties are hereby placed on notice of the contents of this <a title="NOTICE OF INTENT TO SUE" href="https://www.samuelmartinezroque.com/mart%C3%ADnez-roque-v-ontiveros/attention-ramon-ontiveros-notice-of-intent-to-sue-262026" target="_blank" rel="noopener noreferrer nofollow"><strong>NOTICE OF INTENT TO SUE</strong></a>, and further placed on notice that this constitutes a second attempt to extract his lawyers' contact information, and that a second failure to provide such information by having a duly authorized legal counsel formally appear and request disclosure of allegations within the time provided will be treated as additional documentary evidence of abuse of legal process.</p> <p> </p> <h2><strong>ATTENTION RAMON ONTIVEROS, FLOOR KO LLC, ALEX ARMENGOL, AND OTHERS</strong></h2> <h1><strong>NOTICE OF INTENT TO SUE</strong></h1> <p><br>February 6, 2026<br><br><a title="Ramon Ontiveros" href="https://about.me/ramonontiveros" target="_blank" rel="noopener noreferrer nofollow">Ramon Ontiveros</a><br>441 Huerta St., El Paso, Texas 79905<br>124 1/2 Little Flower, El Paso, TX 79915<br>(915) 540-6407<br><a href="mailto:ramon.ont4@gmail.com" target="_blank" rel="noopener noreferrer nofollow">ramon.ont4@gmail.com</a><br><a href="mailto:floorkomanager@gmail.com" target="_blank" rel="noopener noreferrer nofollow">floorkomanager@gmail.com</a><br><br><br><br><a title="Attention Ramon Ontiveros and all parties involved," href="https://www.samuelmartinezroque.com/mart%C3%ADnez-roque-v-ontiveros/attention-ramon-ontiveros-notice-of-intent-to-sue-262026" target="_blank" rel="noopener noreferrer nofollow">Attention Ramon Ontiveros and all parties involved,</a><br><br>This letter serves as formal <a title="NOTICE OF INTENT TO SUE" href="https://www.samuelmartinezroque.com/mart%C3%ADnez-roque-v-ontiveros/attention-ramon-ontiveros-notice-of-intent-to-sue-262026" target="_blank" rel="noopener noreferrer nofollow"><strong>NOTICE OF INTENT TO SUE</strong></a> regarding serious and ongoing violations of federal and state law arising from conduct involving by <a title="Ramon Ontiveros" href="https://about.me/ramonontiveros" target="_blank" rel="noopener noreferrer nofollow"><strong>Ramon Ontiveros</strong></a>, of 441 Huerta St., El Paso, Texas 79905 and 124 1/2 Little Flower, El Paso, TX 79915, also known as "<a title="Ramon Ontiveros Medina" href="https://about.me/ramonontiveros" target="_blank" rel="noopener noreferrer nofollow">Ramon Ontiveros Medina</a>", who has presented himself online and in business dealings under multiple names and aliases, including but not limited to “<a title="Cuda Aquatics" href="https://about.me/ramonontiveros" target="_blank" rel="noopener noreferrer nofollow">Cuda Aquatics</a>,” “<a title="Tony Valencia" href="https://about.me/ramonontiveros" target="_blank" rel="noopener noreferrer nofollow">Tony Valencia</a>,” and others, including "<a title="Ramon Fenikkusu Ontiveros," href="https://about.me/ramonontiveros" target="_blank" rel="noopener noreferrer nofollow">Ramon Fenikkusu Ontiveros,</a>" "<a title="Abraham Ontiveros" href="https://about.me/ramonontiveros" target="_blank" rel="noopener noreferrer nofollow">Abraham Ontiveros</a>," "<a title="Asuncion Ontiveros" href="https://about.me/ramonontiveros" target="_blank" rel="noopener noreferrer nofollow">Asuncion Ontiveros</a>," "<a title="Baron Ontiveros" href="https://about.me/ramonontiveros" target="_blank" rel="noopener noreferrer nofollow">Baron Ontiveros</a>," "<a title="Karina Montiveros" href="https://about.me/ramonontiveros" target="_blank" rel="noopener noreferrer nofollow">Karina Montiveros</a>," "<a title="Robert William Ontiveros" href="https://about.me/ramonontiveros" target="_blank" rel="noopener noreferrer nofollow">Robert William Ontiveros</a>," and variations thereof, as well as conduct involving other associated individuals identified through the same or related operations. Ramon Ontiveros has provided carpet and flooring services and conducted business under various names and entities, including <strong>Angel’s Carpet, LLC</strong>, and <strong>Floor Ko, LLC</strong>, both operating from 441 Huerta St., El Paso, Texas 79905, and associated acts carried out in coordination with, by influence of, or at the direction of <strong>Alex Armengol</strong>, also known as “Alekzz Ito Val,” of 505 E. Third Ave., Unit G, El Paso, Texas 79901, as well as other individuals whose involvement is relevant to the conduct described herein.</p> <h2><strong>Context for Allegations and Pattern of Conduct</strong></h2> <p>The underlying conduct occurred during my employment at <a title="Floor Ko, LLC" href="https://www.floorko.com/" target="_blank" rel="noopener noreferrer nofollow">Floor Ko, LLC</a> between September 2021 and August 2024, and includes, but is not limited to forced labor, labor exploitation, wage withholding, wage theft, deprivation of basic necessities, including forced starvation, homelessness, and harm, intimidation, including immigration-status threats, abuse of legal process, and others, sex trafficking, retaliation, harassment, and other related unlawful acts, encompassing the following categories but not limited to:</p> <ul> <li> <h3>Human Trafficking, Forced Labor, Labor Exploitation, Peonage, and Sex Trafficking,</h3> </li> <li> <h3>Coercion, Threats, and Retaliation,</h3> </li> <li> <h3>Alien Smuggling, Harboring, and Related Conduct,</h3> </li> <li> <h3>Fraud, Deception & Financial Misconduct</h3> </li> <li> <h3>Extortion and Interstate Extortion</h3> </li> <li> <h3>Harassment, Stalking, and Surveillance</h3> </li> <li> <h3>Cyber-Related Misconduct</h3> </li> <li> <h3>Evidence, Process, and Integrity-Related Claims</h3> </li> <li> <h3>Civil Rights & Abuse of Authority</h3> </li> <li> <h3>Health, Privacy, and Personal Information & Security</h3> </li> <li> <h3>Conspiracy and Coordinated Pattern-Based Misconduct</h3> </li> <li> <h3>Defrauding and Committing Multiple Offences Against the United States</h3> </li> <li> <h3>And any additional claims revealed through discovery</h3> </li> </ul> <p>In addition, this <a title="NOTICE OF INTENT TO SUE" href="https://www.samuelmartinezroque.com/mart%C3%ADnez-roque-v-ontiveros/attention-ramon-ontiveros-notice-of-intent-to-sue-262026" target="_blank" rel="noopener noreferrer nofollow"><strong>NOTICE OF INTENT TO SUE</strong></a><strong> </strong>includes post-employment retaliatory conduct occurring during, but not limited to September–October 2024, January–March 2025, June–August 2025, and September 2025 to the present, consisting of a coordinated and continuing campaign of retaliation, intimidation, harassment, extortion and interstate extortion, and interference through misrepresentation and impersonation, forgery, false claims, censorship and suppression of survivor testimony and protected speech, tampering and fabrication of evidence, and obstructing access to justice, including, but not limited to:</p> <ul> <li>Intimidation through immigrant-status-based threats, abuse of legal process, covert and explicit death threats conditioned on contacting law enforcement, covert and explicit threats invoking the participation of organized criminal actors, and threats of litigation based on false allegations regarding a personal backup file I independently generated from personal annotations,</li> <li>Extortion and interstate extortion through threats of harm to family members, friends, acquaintances, or others who have assisted me,</li> <li>The use of fraudulent contracts and payments through fraudulent contact, interstate cyberharassment and stalking, impersonation and misrepresentation of third parties, including the issuance of fraudulent and forged checks under false pretenses, the creation and operation of additional websites, pages, domain names, and the application of script redirecting to such third parties' websites to covert intent, and the deliberate targeting and misappropriation of my creative work, all undertaken to deceive, extract value, obstruct lawful commerce, and interfere with my creative activity, and forming part of a coordinated and ongoing pattern of retaliation, harassment, and economic interference intended to cause financial harm, confusion, and deprivation.</li> <li>The use of fraudulent and fake accounts on Social Media and through unknown phone numbers (VoIP) by contacting me to request and schedule fraudulent appointments for estimates, contacting members of my family who are located out of state under fabricated business claims, and engaging in controlled and deceptive interactions designed to test, provoke, or manufacture false associations.</li> <li>Attempts to mischaracterize, frame and execute a documented campaign of retaliation, harassment, defamation, and related conduct through intentional and controlled experiments (please read: "Supporting Notice Regarding Documentation Methods and Controlled Observations”), as “imagery rescripting therapy” or “worldview therapy,” whether referenced through misattributed credits on open-source platforms such as IMDb and others, or disseminated through fake or anonymous profiles across social media, professional networks, and location-based applications, all which will be taken into consideration as an attempt to tamper with evidence and tampering with the testimony of a witness, including misrepresentation of self and impersonation of medical and therapeutic professionals by falsely claiming authority to perform therapeutic interventions, violations of healthcare and privacy standards, unauthorized disclosure of personal, private, and medical information, including the dissemination of personal images, generation or use of AI-manipulated or deepfake sexualized content derived from my likeness such as deliberately editing the "line" tattoo I have on my left arm, and the non-consensual simulation or imposition of purported medical or therapeutic interventions, all as separated acts, which will be prosecuted to the fullest extent of the law,</li> <li>Further intimidation through the widespread, bad-faith misattribution of songwriting, acting, producing, or authorship credits across open-source and professional platforms, such as IMDb, Social Media, and other related, including the creation of a Facebook account under the name of "Ramon Medina" intended to fabricate conversations and manipulate the titles of these conversations to mischaracterize a conversation between an already added contact as friend as a lawful request through a listing for Floor Ko LLC's advertisement on Facebook Marketplace, to create covert family members associations to law-enforcement, criminal organizations or the amplification of false narratives that match previous claims made by Ramon Ontiveros during my employment designed to provoke, intimidate, or generate reputational harm through repetition and forced association, including conduct intended to induce unsolicited or illicit communications as a means of harassment and psychological pressure,</li> <li>Attempts to conceal, dilute, or obstruct accountability by deliberately fragmenting and saturating Ramon Ontiveros' digital identity space through the release of multiple AI-generated works such as songs titled "Ramon Ontiveros," the manufacture of numerous false or automated profiles, and the creation of deceptive academic, professional, or websites under the names of the primary defendant and associates, including the use of misleading imagery, false credentials, redirecting pages, or technical obfuscation designed to prevent scrutiny, confuse attribution, or normalize deceptive behavior under the guise of legitimate activity,</li> <li>Attempts to use, dilute, sabotage, split, or weaponize my identity and the identities of persons associated with me, including family members (living or deceased), close friends (living or deceased), acquaintances, former professors or colleagues, and individuals who have provided assistance, as well as names I have deliberately referenced such as "Ceasar," "Adrian," and others, as part of controlled observations (please read: <em>“</em>Supporting Notice Regarding Documentation Methods and Controlled Observations<em>”</em>) to test replication and mirroring behavior across social media, professional platforms, creative distribution and attribution systems, indexing and archival services, and dating or location-based applications, whether through identifiable or anonymous accounts, and constitutes coordinated identity sabotage and retaliatory interference,</li> <li>Deprivation of basic needs occurred as a foreseeable and intended consequence of an ongoing and documented pattern of retaliation, harassment, deliberate censorship under false claims, interference with my professional work through the prevention of access to work opportunities, lead generation, independent contracting, creative distribution, and lawful commerce, including the scheduling of fake appointments for estimates intended to cause loss of resources such as time, fuel, and income, and the repeated reporting of advertisements, resulting in repeated takedowns, suspensions, and bans of my work accounts, as well as the prevention of creating new accounts through generalized bans tied to my identifiers, IP addresses, and related technical markers, which has prevent me from finding lawful employment and income, which has resurected forced deprivation, starvation conditions, and the prolonged disconnection of essential utilities, including electricity, for periods exceeding one month, including during extreme weather conditions, conduct that is not isolated but forms part of a continuing and documented pattern of coercive outcomes that mirrors and reproduces the same results and harms I was subjected to during my employment by Ramon Ontiveros, when he engaged in wage withholding, sustained wage withholding, retaliation, harassment, and interference, demonstrating continuity of method, effect, and intent across time and contexts,</li> <li>Coercive pressure continues to be exerted through the fraudulent association and manipulation of metadata and related acts that may constitute misattribution of authorship and credits and copyright infringement, undertaken to compel me to abandon legal remedies and to “forgive” the primary defendant outside any lawful process, including the misuse of religious language, moral authority, and implied spiritual consequences, communicated both directly and indirectly, and designed to intimidate, destabilize, or discourage the pursuit of protected legal activity, acts that have been carried out through the abuse of metadata and attribution systems across digital distribution and streaming services used to release and disseminate my creative work, including but not limited to audio recordings, lyrics, written content, podcasts, and other related materials, by the unauthorized association of my name, identifiers, or creative output with false, misleading, or coercive narratives, the alteration, suppression, or misattribution of credits, and the creation of fraudulent associations intended to exert psychological, reputational, and economic pressure, conduct that constitutes interference with civil rights, retaliation, and improper influence, regardless of the platform, medium, automation, intermediary, or claimed belief system used, and regardless of any assertion of good faith, moderation, reporting, or lawful activity, with each instance preserved as a separate and ongoing actionable violation, subject to civil liability, and to referral for investigation upon the request, granting, and confirmation of subpoenas for relevant internet, platform, and network records,</li> <li>Coordinated reporting of my personal, creative, professional, and survivor testimony through multiple accounts with the intent to censor and suppress protected speech, whether these are managed by Ramon Ontiveros himself, or represents the participation of third parties, which would constitute in a conspiracy to commit offenses against the United States, including the false labeling of images documenting starvation, deprivation, or physical deterioration as “pornographic” or “sexual content” despite the absence of any sexual context or intent; the characterization of survivor testimony describing exploitation or trafficking as “obscene” or “sexually explicit” where such descriptions are necessary to explain harm; the framing of advocacy or personal disclosures as “solicitation” or “prostitution” despite the absence of any offer, request, or commercial element; and the use of anonymous, automated, or fraudulent accounts to submit coordinated reports, indicating an intent to overwhelm or manipulate moderation systems rather than to enforce legitimate community standards.</li> <li>Coordinated use of covert, fraudulent, fake, and anonymous accounts, pages, and profiles across social media and related platforms, including dating, hookup, and location-based applications or services such as Grindr, Sniffies, and similar platforms, whether accessed through identifiable or anonymous means, to impersonate minors and to circulate or reference explicit material framed or represented in a manner that could be construed as possession and distribution of child pornography (child sexual abuse content), with the apparent intent to entrap, fabricate allegations, and falsely attribute such conduct to me, and the further coordinated and escalating retaliatory conduct through the continued use of current, dormant, newly created, or successor accounts across the same platforms to deliberately fabricate and stage purported “evidence,” after first coordinated efforts failed, as well ass the issuance of new associated threats to abuse legal process and the submission, or threatened submission, of knowingly false reports to local, state, and federal authorities under false pretenses associated to allegations regarding unlawfull conduct with minors, all undertaken to perpetuate defamation, assassinate my character, and preemptively impeach my credibility before I have the opportunity to testify under oath, particularly after I raised concerns regarding forced labor, labor exploitation, wage withholding, wage theft, deprivation of basic necessities, including forced starvation, homelessness, and harm, intimidation, including immigration-status threats, abuse of legal process, and others, sex trafficking, retaliation, harassment, and other related unlawful acts, and pursued lawful avenues toward legal action.</li> </ul> <p>These post-employment actions are not separate or unrelated events. They constitute a continuing course of conduct inherent to human trafficking, labor exploitation, and sex trafficking, and others, in which coercion, control, and retaliation extend beyond the period of direct employment. The acts described are directly connected to my prior labor exploitation, my role as a witness and survivor of trafficking-related offenses, and my efforts to report, document, and obtain protection under applicable law.</p> <p> </p> <h2><strong>Allegations and Pattern of Conduct</strong></h2> <p>During the periods identified above, I was subjected to a systematic, coordinated pattern of unlawful conduct, including but not limited to acts that constitute coercion, exploitation, deprivation of basic needs resulting in forced starvation for periods corresponding to 24 consecutive days of starvation, and other intermittent periods up to four (4) continuous days during multiple times during my employment at Floor Ko, LLC, and multiple times after through interference as a post-employment retaliatory campaign, homelessness through forced relocation, harm, and others, retaliation, harassment, intimidation, and interference with protected rights under applicable federal and state statutes through fraud, misrepresentation, impersonation, and other related.<br>This conduct was not accidental, isolated, administrative, or the result of misunderstanding. It reflects a deliberate abuse of economic vulnerability, power imbalance, and immigration-related fear taken advantage of by Ramon Ontiveros, and other associated acts carried out in coordination with, by influence, or at the direction of Alex Armengol and Mexican national Dacia Ontiveros Medina, and the isolated collaboration of others under false pretenses, to the extent relevant to the conduct described herein, and meets the legal thresholds for forced labor, labor trafficking–related coercion, retaliation, obstruction, and sex trafficking, based on the occurrence of my exploitation through coercion, financial harm, fraud, abuse of my vulnerability, and deprivation of basic needs, as defined under applicable law.<br><br><strong>List of specific allegations (non-exhaustive):</strong><br><br>This is a detailed list of specific allegations (non-exhaustive), incidents, dates, communications, and supporting evidence referenced herein:</p> <ul> <li>This list of specific allegations (non-exhaustive), and associated incidents, dates, communications, and supporting evidence referenced herein has been deliberately and temporarily redacted from this <a title="NOTICE OF INTENT TO SUE" href="https://www.samuelmartinezroque.com/mart%C3%ADnez-roque-v-ontiveros/attention-ramon-ontiveros-notice-of-intent-to-sue-262026" target="_blank" rel="noopener noreferrer nofollow"><strong>NOTICE OF INTENT TO SUE</strong></a> (please read: "Supplemental Notice Regarding Redaction of Allegation List"). The full, unredacted list of allegations will be disclosed upon formal request by verified legal counsel representing Ramon Ontiveros, subject to confirmation of representation and in a manner consistent with legal and safety considerations.</li> </ul> <p> </p> <p>TO READ THE FULL <a title="NOTICE OF INTENT TO SUE" href="https://www.samuelmartinezroque.com/mart%C3%ADnez-roque-v-ontiveros/attention-ramon-ontiveros-notice-of-intent-to-sue-262026" target="_blank" rel="noopener noreferrer nofollow">NOTICE OF INTENT TO SUE</a>, <a title="CLICK HERE" href="https://drive.google.com/file/d/1DfKfOls3LiTq1qyTemRp5IUCw_fYDsjD/view?usp=sharing" target="_blank" rel="noopener noreferrer nofollow">CLICK HERE</a><br><br><a title="Martínez Roque v. Ontiveros" href="https://www.samuelmartinezroque.com/mart%C3%ADnez-roque-v-ontiveros" target="_blank" rel="noopener noreferrer nofollow">Martínez Roque v. Ontiveros</a><br><br><br>For more information, go to <a title="www.samuelmartinezroque.com" href="https://www.samuelmartinezroque.com/mart%C3%ADnez-roque-v-ontiveros/attention-ramon-ontiveros-notice-of-intent-to-sue-262026" target="_blank" rel="noopener noreferrer nofollow">www.samuelmartinezroque.com</a></p>