Saturday, December 6, 2025
OPERATION PUSH WITH NEW BIRTH RESPONDING AGAIN "I REFUSE TO SETTLE"
Attn: Hilton Grand Vacations – Legal Department / Corporate Counsel
5555 Badura Avenue, Suite 160
Las Vegas, NV 89119
To Whom It May Concern:
I am writing in response to your recent settlement offer dated November 24, 2025, in the amount of $10,000. This amount is wholly insufficient considering the escalation of events and the substantial emotional, reputational, and financial harm I have experienced as a result of the actions of Pleshette Robinson and others associated with Hilton Grand Vacations.
As you are aware, my original settlement demand $10,000 plus reimbursement of medical expenses was subsequently recalled by Sarah Bassett on November 15, 2025. At that time, I made it clear that the demand was subject to change due to the continued and increasing harm resulting from Ms. Robinson’s conduct.
Since the incident on November 10, 2025, Ms. Robinson’s alleged defamatory statements, false accusations, and communications including false claims regarding my health and character have caused significant reputational damage, emotional distress, and public humiliation. These statements were allegedly circulated at Operation PUSH and New Birth Missionary Baptist Church, where the defamatory reference “The Woman with the Issue of Blood” appears to have been publicly associated with me.
Furthermore, Ms. Robinson has made false claims that I engaged in stalking while simultaneously producing video content that suggests she had been monitoring me. Denise Edgehill has also publicly supported and contributed to the spread of these statements, further compounding the harm I have suffered.
I wish to clarify that although I am proceeding Pro Se, I am being directly guided by Carlos Sanchez of Legal Aid of Southern Nevada, who is providing advisory assistance.
Due to the severity of the continuing emotional distress, slander, displacement, and intentional/willful harm caused by the actions of Ms. Robinson and others, I am amending my settlement demand to $50,000. Please direct all communications to me personally.
This offer will remain open until Friday, December 12, 2025. If I do not receive written confirmation of intent to resolve this matter by that date, I will continue preparing an amended civil action seeking $250,000 in damages, in addition to all claims available under state and federal law.
FORMAL REQUEST FOR DOCUMENTS AND MATERIALS
In anticipation of formal discovery through the Eighth Judicial District Court, I hereby request the following documents and materials:
1. Communications and Internal Records
All emails, reports, complaints, text messages, and internal communications submitted to, generated by, or maintained by Hilton Grand Vacations involving:
Pleshette Robinson
Denise Edgehill
Fatima Moncada
Giorgio Castaldo
Paul Maron
Christina Stallings
Any supervisory or management personnel involved with my employment or related complaints
2. Investigative Files
All internal investigative notes, summaries, conclusions, or documents related to any review or inquiry involving allegations of:
Harassment
Retaliation
Stalking
Slander/Defamation
Policy violations or misconduct
3. Supervisor Communications
Any communications referencing:
My complaints
Knowledge of my complaints
Disciplinary status or “final warnings” involving Giorgio Castaldo
4. Requests for Admission (Notice)
Please be advised that I intend to prepare Requests for Admission directed to:
Denise Edgehill
Fatima Moncada
Giorgio Castaldo
Paul Maron
Christina Stalling
regarding their knowledge of or involvement in any investigation or failure to investigate my complaints.
5. Company Policy
A complete and current copy of Hilton Grand Vacations’ cell-phone usage, monitoring, and recording policy, including any revisions in effect during my period of employment.
NOTICE OF EVIDENCE FOR INTRODUCTION
Additionally, I hereby provide formal notice of video and online content that I intend to introduce as evidence in support of my defamation and slander claims. These materials pertain to public and semi-public statements that I believe were connected to this matter. The individual referenced as “The Woman with the Issue of Blood” (associated with Hilton) has already been reported. The content includes, but is not limited to:
Operation PUSH – November 15, 2025
https://www.youtube.com/watch?v=w9VA6vjFzPc&t=883s New Birth video
https://www.youtube.com/watch?v=snX0XQ3rJrc&t=3094s Salem Baptist Church video
https://www.youtube.com/watch?v=SZrSSW-dsug&pp= 0gcJCRYKAYcqIYzv Blog post (“Damage Control”) — followed by 254,000 subscribers, including individuals from your call center
https://sexydancer68.blogspot.com/2025/11/why-would-i-worry- when-i-know-who-i-am.html
I also have significant concerns that Hilton Grand Vacations employees or agents may have accessed or monitored my personal social media accounts without consent. On or about November 11, 2025, a video not publicly posted appeared online. I believe identifying the access source may be relevant to my claims.
I previously reported concerns for my personal safety and potential retaliation; these concerns remain unresolved. Ms. Robinson continues to stalk, harass, and privately slander my name, escalating my fear for my safety.
Please confirm receipt of this correspondence and provide a written response outlining Hilton Grand Vacations’ intention to comply.
Press Release: Hilton Grand Vacations Demand for Depositions, Interrogatories, and Documentation Related to Pending Legal ActionRepost
Hilton Grand Vacations
Attn: Legal Department / Corporate Counsel
5555 Badura Avenue, Suite 160
Las Vegas, NV 89119
Bcc: Media – Press Release
NOTICE BY PUBLICATION
Re: Formal Request for Production of Documents, Discovery Materials, and Acknowledgment of Evidence
Dear Sir or Madam:
I am writing to formally request the preparation and production of discovery materials related to my ongoing legal matter involving Hilton Grand Vacations. As I am in the process of escalating this case to the Eighth Judicial District Court of Nevada, I am requesting the following documents and information in anticipation of formal discovery and/or court-ordered production:
All emails, reports, complaints, and internal communications submitted to, generated by, or maintained by Hilton Grand Vacations that are relevant to my claims. This includes, but is not limited to, any correspondence involving:
Pleshette Robinson
Denise Edgehill
Fatima Moncada
Giorgio Castaldo
Any supervisory or management personnel associated with my employment or subsequent complaints
All investigative records, notes, conclusions, or summaries pertaining to any internal inquiries or reviews conducted in response to my reports of harassment, retaliation, stalking, slander, or workplace misconduct.
All written and electronic communications, including emails and text messages, relating to supervisory awareness of my complaints, including any reference to Mr. Castaldo’s “final warning” or disciplinary status.
Requests for Admission to be prepared and directed to Denise Edgehill, Fatima Moncada, and Giorgio Castaldo, addressing their knowledge of and involvement in the investigation (or failure to investigate) my complaints.
A complete and current copy of Hilton Grand Vacations’ employee cell-phone usage and recording policy, including any revisions in effect during my employment period.
Additionally, I hereby provide formal notice of video and online content that I intend to introduce as evidence in support of my defamation and slander claims. These materials pertain to public and semi-public statements that I believe were connected to this matter. The individual referenced as “The Woman with the Issue of Blood” (associated with Hilton) has already been reported. The content includes, but is not limited to:
• Operation PUSH – November 15, 2025 https://www.youtube.com/
• New Birth video https://www.youtube.com/
• Salem Baptist Church video https://www.youtube.com/
• Blog post (“Damage Control”) 254,000 fans including your call center following https://
Please also be advised that I have significant concerns that Hilton Grand Vacations agents, employees, or associated parties may have been monitoring or accessing my personal social media accounts without my consent. On or about November 11, 2025, during a heightened incident involving one of your employees, a video that was not publicly posted appeared online. I believe the source and access point of this material may be directly relevant to my claims.
I previously reported concerns for my personal safety and potential retaliation; however, these reports do not appear to have been properly investigated or resolved.
Based on the documented harm, negligence, and failure to act, I have been advised that I may move forward with an amended civil action seeking damages in excess of $250,000. I will be proceeding Pro Se, with advisory assistance from Legal Aid.
Please confirm receipt of this correspondence and provide a written response outlining Hilton Grand Vacations’ intent to comply with this request. Failure to do so may result in formal motions to compel, sanctions, and additional court intervention.
Thank you for your prompt attention to this matter. I look forward to your response.
