BobulinskiGoldman

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UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA
ANTHONY BOBULINSKI,
Plaintiff,
v.
DANIEL GOLDMAN,
Defendant.
Case No.: ________________
DEMAND FOR A JURY
TRIAL
COMPLAINT
1. Defendant, Daniel Goldman, has repeatedly lied about Plaintiff,
Anthony Bobulinski, saying that Mr. Bobulinski has used a Trump campaign-paid
lawyer to lie since October 2020, spreads Russian disinformation, and is a Trump
campaign plant. Defendant lied solely to serve his political agenda by deliberately
besmirching the character of Mr. Bobulinski and to protect Joseph Biden. Defendant’s
assertions are unequivocally false and defamatory. Mr. Bobulinski demanded a
complete retraction and deletion of his posts made on X (formerly Twitter) on March
26, 2024, which Defendant wholly ignored. Accordingly, Mr. Bobulinski seeks to hold
Defendant accountable for his malicious and knowing lies.
PARTIES AND JURISDICTION
2. Plaintiff Anthony Bobulinski is an individual who is not a resident or
citizen of the State of New York or Washington, D.C.
3. Defendant Dan Goldman is an individual who is a resident and citizen
of the State of New York, and is employed in Washington, D.C.
Case 1:24-cv-00974 Document 1 Filed 04/05/24 Page 1 of 12

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Sections
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