Notice! Guy Luongo – Williamstown, New Jersey

Name: Guy Luongo
City: Williamstown, NJ USA
Age: 55
Race: White
Height: 5′ 8”
Weight: 210 lbs.
Eye Color: Brown
Hair Color: White
Gender: Male
Sexual Orientation: Bisexual
Disclosure History: Has failed to inform someone prior to exposure

Guy Luongo is a scumbag. He is a heroin addict. He does not disclose his needle use either.
Do not lend him money. He is full of stories he will tell you his work is slow or someone canceled last minute and put on a sob act to support his drug habit.He has also been known to tell people that that he has cancer and that is NOT true either. In addition to his drug habit he is also a sex addict. He does not use protection.
He does not manage his bipolar disorder.
Also to anyone out there that he has also taken advantage of there is no pastor there is no Bible study he's a compulsive liar junkie.
He is not a stable person and his sob stories are endless. He has stooped so low to take advantage of his own aunt's, sister – I have heard him compulsively lie to whoever he needs to to get what he wants money, sex it goes on and on. He has no shame he will tell you every woman that he has been with has cheated on him which is not true, he will tell you anyone that he has been in a relationship with is mentally ill even his ex-wife.
He has a history of abusing women in every state that he has lived in. He has repeated this pattern in each state with different women for years. In every state that he has lived in he has repeated the pattern in each state of filing false police reports and restraining orders with multiple women acting like he is a victim – he is truly psychotic. He has even been charged with false police reporting. SEE FLORIDA, pa, md, Williamstown, nj – in one county in Florida there is over 45 reports in just one county – Pinellas County. He has been charged with domestic violence, stalking, he has also been charged with violating restraining orders with different women. He truly feels the rules do not apply to him.
He tries to mask his disgusting behavior by making false accusations and manipulation, he is a narcissist. He is known to friend young girls on Snapchat as #guythecarguy two different women in two different relationships have stabbed him #guyluongo #hepatitisc #williamstown #newjersey

Source: Notice! Guy Luongo – Williamstown, New Jersey

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4 Comments

  1. Guy is nothing but a predator an awful human being. Guy is not even human he’s a fucking monster.
    https://mccaffertyfuneralhomes.com/obituary/gregory-stephen-snyder/

  2. Who hasn’t heard Guy’s not so iceberg slim story about the hooker in Florida he would drive to “jobs”.
    (This is not the same hooker Guy threw out of a moving car.)
    This is the hooker he drove around in Florida that would shit on glass tables.
    He said he would make this woman a pot of coffee and then on some occasions drive her to shit on a glass table with a man underneath of it.
    Guy is still the most embarrassing chlamydia having pathetic wannabe thug pimp.
    I’ll save you a click –

    Testimonials:

    REBECCA HEGEMAN
    RONALD B. HEGEMAN. JR.
    Plaintiff
    V.
    CREATIVE REMODELING
    & GENERAL CONTRACTING, A N.J. LLC, CREATIVE REMODELING t/a
    GAETANO M. LUONGO JR.
    And GAETANO M. LUONGO
    Jr., individually; ANTHONY GIORDANO; JOHN DOE(S)
    #1-10; ABC CORPORATIONS
    #1-10; AND XYZ Partnership
    #1-10 (fictitiously named
    Defendants), jointly & severally.
    SUPERIOR COURT OF NEW JERSEY
    LAW DIVISION
    GLOUCESTER COUNTY
    DOCKET NO.: GLO-236-22
    Defendants.
    Civil Action
    CERTIFICATION OF BRUCE K. WARREN
    ——
    I, Bruce Warren, make this certification as follows:

    1. I am an attorney licensed in New Jersey.

    2. In, March of 2022, myself and the Warren Law Group, LLC were retained
    by the Defendants in this above referenced action, to represent them in the above entitled

    3. Since that time, Defendants have continuously undergone a course of
    action that was not agreed upon or condoned by me and likewise, Defendants feels that
    the opposite has occurred.

    4. I would be happy to explain this in further detail in-camera should Your Honor request such.

    5. In short, the relationship of trust and confidence that is essential to
    properly functioning attorney-client relationship is irreparable.

    6. For all of the foregoing reasons, I am asking that this Court relieve both
    myself and the Warren Law Group as counsel for the Defendants.
    I certify that the foregoing statements made by me are true. I am aware that if any statements are willfully false, I am subject to punishment.
    civil action.
    ———-
    CREATIVE REMODELING
    & GENERAL CONTRACTING, A N.J. LLC, CREATIVE REMODELING t/a
    GAETANO M. LUONGO, JR.
    AND GAETANO M. LUNOGO
    JR., individually; ANTHONY GIORDANO; JOHN DOE(S)
    #1-10; ABC CORPORATIONS
    #1-10; AND XYZ Partnership
    #1-10 (fictitiously named
    Defendants), jointly and severally.
    DOCKET NO.: GLO-236-22
    MOTION TO BE RELIEVED
    AS COUNSEL
    Defendants.
    Civil Action:

    CERTIFICATION OF EDWARD J. HOVATTER

    I, Edward J. Hovatter, Esquire make this certification as follows:
    1. I am an attorney at law, in good standing, licensed in the State of New Jersey.
    2. On or about May 17, 2023, myself and Hovatter Law were retained by the Defendants, Gaetano M. Luongo, Jr. (“Luongo”) and Creative Remodeling & General Contracting, LLC (“Creative”) in this civil action.
    3. Shortly thereafter, Luongo has continuously undergone a course of action that was not agreed upon or condoned by me; he has instructed me to pursue inconsistent theories and tactics; and this conduct and action, I find to be repugnant, and to which I disagree.
    4. Defendants have and continue to create and impose unreasonable obligations upon this firm.
    5. I would be happy to explain the details to further support the foregoing, in-camera, in compliance with the rules of professional conduct, should the Court so desire.
    6. In short, the relationship of trust and confidence that is essential to a properly functioning attorney client relationship is now irreparable.
    7. As an example, and for illustration purposes only, since the time Defendants* Motion for Partial Summary Judgement was denied by this Court, Luongo has been advising me of his outside consultations with counsel, unrelated to Hovatter Law, who is alleged to concentrate his or her practice in debtor’s rights.
    8. On multiple occasions, I have requested outside counsel’s contact information so that I am fully informed of Defendants’ strategy and approach to Defendants’ next step(s) and course of action.
    9. I have been advised by Luongo that outside counsel was to provide me with a written summary of counsel’s analysis, strategy, and approach.
    10. It is unclear to me as to whether the services of the undersigned will be terminated and replaced by outside counsel.
    11. As of the date of this certification, I have not been contacted by outside counsel, nor have I received a writing from this attorney.
    12. As further evidence of the above, and to further support the instant Motion, Luongo contacted Hovatter Law on or about October 1, 2023, and instructed me to relay a settlement offer to Plaintiffs, part of which was also to be used to satisfy this firms fees, costs and out-of-pocket expenses. I also advised Luongo that a similar offer, previously relayed to the Court, was rejected and the Court found that mediation would not be suitable given the disparity of the settlement amounts) exchanged by and between the litigants.
    13. I then prepared a draft offer letter which I forwarded to Luongo for his review and approval.
    14. Shortly thereafter, Luongo contacted our offices and spoke with the firm’s receptionist (who happens to be my daughter). Luongo became aggressive and hostile. See exhibit “A” attached hereto, prepared by my daughter, Samantha R. Hovatter.
    15. Defendants’ conduct has become unruly, unbearable and is causing major disruption within our offices.
    16. For all the foregoing reasons, and based upon this certification, I am asking that this Court relieve both myself and Hovatter Law as counsel for the Defendants.

    I certify that the foregoing statements made by me are true. I am aware that if any statements are willfully false, I am subject to punishment.

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