1
2A PAGE 02/05 09:02 2100013001313 JAMES COURI MEMO ENDORSED 78365 Highway 111, Suite 322, La Quinta,. CA 92253 . 760-346-2808 May 8, 2012 U.S. Magistrate Judge Frank Maas United States Courthouse 500 Pearl Street New York, NY 1007 Via Fax: 212-805-6724 Re: Lydia Alexandra Couri v McLaughlin Ref: Conference of May 30, 2012 Stem LLP, Jon Paul Robbins Esq. +- b vC{ ,,>. /\...L.(, <.J- '01..>..- #12-CV-2220 0 cv--- u.-L do>. 'ftLC.,.r . L o!..vv.... <-. 'L.u&L- a..b LL- h:, D J d M ear.u ge aas. h \ _1.: r;:l th 'Exhib' d....... . h Y H ,MfU.-V W! n...... I am ttu\J.ng e . J erty ot fax'1i.Jg this ettcr an. e ItS In accor ance Wit our onor s . Rules. I am the Attorney in Fact pursuant to a Durable Power of Attorney issued in my favor by my lu: ..... lr'- daughter Lydia Alexandra Couri (LAC) (pJaintiff in this Case). I am not a lawyer. When I learned the tlUng of this Case I submitted an Affidavit with Exhibits to USDJ Stanton on April 26. 2012 with LU 11k. 1\.u.- copies to all involved Attorneys. I incorporate it herein and I respectfully refer Your Honor to . Document and the Exhibits to it. In particular Exhibit 1, the POA; Exhibits 6, 7, & 8 - some C. 1 0- . biographical information. about me; and Exhibit 9 - Affidavit from my Primary Physician Dr. Thomas -- ike, So'::' Reynolds confirming the gravity of my current health issues and stage four cancer. As such, I cannotl\Q Ct.-..L",-!:>, travel. Please also see Exhibh 15 - Agreement and my interest in any recovery in this Case. tU..( .Co '::::. f- \o-v u.......:;h u <Ct:..- b,--\ he \ S .J) tN I eJ:> . I append Exhibit A here - my letter to JOrl.ge Stanton of 4-30-2012: Request for In.tervention as a I Right. I also append as Exhibit B -letter to Judge Stanton of May 5,2012 conftrming that LAC suffers USILt-J from mental illness. is a chromc substance abuser, and a neurotically troubled individual. LAC has :5/ 'iiI, l- I admitted to her mental illness by virtue of her submission to Airlines seeking "Emotional Support .,j,.{.I. certification ",;th providing the required Psychiatrist written disclosure stating that LAC suffers frolTIec c:. mental illness. LAC is regretfully not capable of handling litigation or business matters. "''''7 .... \ \) Accordingly, LAC is ill and has been hijacked and manipulated by clever charlatan lawyers using her as a front for this bogus and fraudulent Complaint (please see my Affidavit of and Exhibit B hereto). In fact, the Complaint here is a poster-child for Rule 11 Sanctions against Max Folkenflik Esq., who has chosen to harass and maliciously attac;k me and my doctors in a scheme to obtain an unfettered avenue to extort LAC. alld defendants, and use me as a scapegoat without basis in fact or in law. Accordingly, I respectfully request that I be given the opportunity to participate io the "Conference" that I understand is scheduled before Your Honor on May 30. 2012 by telephone conference call as I am under constant medical care at UCLA Medical Center in Los Angeles and Eisenhower Medical Center in Ra11cho Mirage. CaHfornia (and cannot travel); and that I be given the right to Intervene to protect my daughter LAC and my rights as her Attorney in Fact and as a party in interest to this Case. I wiU follow up this letter and Exhibits with a call to bers. Ends. RSDCSDI,,{Y cc: Cozen O'Connor. M. Kohel Esq., via Paul Robbins Esq., vi DOCUMENT Max Folkenflik Esq., via fax; David Fisher Esq., via ELECfRONICALLY FILED I DOC #: II ... : I DATE F1LED: 2J!.iJ"1 .:=-dJ Case 1:12-cv-02220-TPG-FM Document 9 Filed 05/08/12 Page 1 of 1

2012.05.08 Couri Letter - Participate Conference Call

Embed Size (px)

DESCRIPTION

05/~8/201209:02Case 1:12-cv-02220-TPG-FM Document 921000130013132AFiled 05/08/12 Page 1 of 1PAGE02/05JAMES COURI78365 Highway 111, Suite 322, La Quinta,. CA 92253 . 760-346-2808MEMO ENDORSED May 8, 2012U.S. Magistrate Judge Frank Maas United States Courthouse 500 Pearl Street New York, NY 1007Via Fax: 212-805-6724Re: Lydia Alexandra Couri v McLaughlin Ref: Conference of May 30, 2012 Stem LLP, Jon Paul Robbins Esq. c~· +- ~...., ~ b ~ '01..>..­ vC{ ,,>. Co~ ~ /\...L.(,

Citation preview

Page 1: 2012.05.08 Couri Letter - Participate Conference Call

2A PAGE 02/0505/~8/2012 09:02 2100013001313

JAMES COURI MEMO ENDORSED 78365 Highway 111, Suite 322, La Quinta,. CA 92253 . 760-346-2808

May 8, 2012 U.S. Magistrate Judge Frank Maas United States Courthouse 500 Pearl Street New York, NY 1007 Via Fax: 212-805-6724

Re: Lydia Alexandra Couri v McLaughlin Ref: Conference ofMay 30, 2012 Stem LLP, Jon Paul Robbins Esq. c~· +- ~...., ~ b~ vC{ ,,>. Co~ ~ /\...L.(, e~ <.J­'01..>.. ­

#12-CV-2220 0 ~ cv--- ~ohVl.<. u.-L ~o,,-:t- do>.'ftLC.,.r s~~~e.1e~ ~ . Li\...~l~ L o!..vv.... <-. (-f~,~. liL{o~vQ....-J) 'L.u&L-~ a..b LL- h:,

D J d Mear.u ge aas. ~ h s\~ LD~ \

_1.: thMl'~b \Uf:d~hir;:l th 'Exhib' .~ d....... . h Y H~()~d ,MfU.-V W! n......I am ttu\J.ng e . J erty ot fax'1i.Jg this ettcr an. e ItS In accor ance Wit our onor s . Rules. I am the Attorney in Fact pursuant to a Durable Power of Attorney issued in my favor by my lu:..... lr' ­

daughter Lydia Alexandra Couri (LAC) (pJaintiff in this Case). I am not a lawyer. When I learned ofCv~"'­the tlUng of this Case I submitted an Affidavit with Exhibits to USDJ Stanton on April 26. 2012 with LU 11k. 1\.u.­copies to all involved Attorneys. I incorporate it herein and I respectfully refer Your Honor to that'~:ttft. Document and the Exhibits to it. In particular Exhibit 1, the POA; Exhibits 6, 7, & 8 - some C. 1 0- .

biographical information. about me; and Exhibit 9 - Affidavit from my Primary Physician Dr. Thomas -- ike, So'::'

Reynolds confirming the gravity of my current health issues and stage four cancer. As such, I cannotl\Q Ct.-..L",-!:>,

travel. Please also see Exhibh 1 5 - Agreement and my interest in any recovery in this Case. tU..( .Co~ '::::. ~t,,~ f- \o-v ~ u.......:;h u ~ <Ct:..- b,--\ ~e~he ~ \ S .J) tN I eJ:> .

I append Exhibit A here - my letter to JOrl.ge Stanton of4-30-2012: Request for In.tervention as a ~{o::-­ I

Right. I also append as Exhibit B -letter to Judge Stanton ofMay 5,2012 conftrming that LAC suffers USILt-J

from mental illness. is a chromc substance abuser, and a neurotically troubled individual. LAC has :5/ 'iiI, l-I

admitted to her mental illness by virtue of her submission to Airlines seeking "Emotional Support Do~ .,j,.{.I. certification ",;th providing the required Psychiatrist written disclosure stating that LAC suffers frolTIec c:. ~ mental illness. LAC is regretfully not capable of handling litigation or business matters. "''''7.... \\) Accordingly, LAC is ill and has been hijacked and manipulated by clever charlatan lawyers using her as a front for this bogus and fraudulent Complaint (please see my Affidavit of 4-26~12 and Exhibit B hereto). In fact, the Complaint here is a poster-child for Rule 11 Sanctions against Max Folkenflik Esq., who has chosen to harass and maliciously attac;k me and my doctors in a scheme to obtain an unfettered avenue to extort LAC. me~ alld defendants, and use me as a scapegoat without basis in fact or in law.

Accordingly, I respectfully request that I be given the opportunity to participate io the "Conference" that I understand is scheduled before Your Honor on May 30. 2012 by telephone conference call as I am under constant medical care at UCLA Medical Center in Los Angeles and Eisenhower Medical Center in Ra11cho Mirage. CaHfornia (and cannot travel); and that I be given the right to Intervene to protect my daughter LAC and my rights as her Attorney in Fact and as a party in interest to this Case. I wiU follow up this letter and Exhibits with a call to bers.

Ends. RSDCSDI,,{Ycc: Cozen O'Connor. M. Kohel Esq., via fax~ Paul Robbins Esq., vi DOCUMENTMax Folkenflik Esq., via fax; David Fisher Esq., via fa.~

ELECfRONICALLY FILED I DOC #: II

------:--"-.-~... : I DATE F1LED: 2J!.iJ"1 .:=-dJ

Case 1:12-cv-02220-TPG-FM Document 9 Filed 05/08/12 Page 1 of 1