LIBERI v TAITZ (APPEAL) - Appellants' Request for Judicial Notice Transport Room 4492

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    U.S. District Court,Eastern District of Pennsylvania Case Number: 09-cv-01898 ECR

    Court of Appeals No. Case Number: 09-3403

    UNITED STATES COURT OF APPEALS

    FOR THE THIRD CIRCUIT__________________________

    LISA LIBERI, et al,

    Plaintiffs Appellants,

    v.ORLY TAITZ, et al,

    Respondents Appellees.

    _________________________

    APPELLANTS REQUEST FOR JUDICIAL NOTICE_____________________

    TO ALL PARTIES AND THEIR ATTORNEYS OF RECORD:

    Please Take Notice that Appellants, Lisa Liberi [hereinafter Liberi];

    Philip J. Berg, Esquire [hereinafter Berg], the Law Offices of Philip J. Berg;

    Evelyn Adams a/k/a Momma E [hereinafter Adams]; Lisa Ostella [hereinafter

    Ostella]; and Go Excel Global by and through their undersigned counsel, Philip

    J. Berg, Esquire, hereby submits this Request for Judicial Notice of the Orange

    County Sheriffs Department Police Report No. 09-068339 filed by Appellee Orly

    Taitz, et al attached hereto as EXHIBIT 1. Appellants are also requesting this

    Court to take Judicial Notice of Appellee Orly Taitzs January 29, 2010 post on her

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    website at http://www.orlytaitzesq.com/?p=7635, attached as EXHIBIT 2,

    which substantiate Appellants claims that Orly Taitz, et al knowingly filed the

    attached False Police Report against Lisa Ostella and Lisa Liberi. Appellants

    herein are also requesting this Court to take Judicial Notice of the Affidavit of

    Charles Edward Lincoln, IIIs Affidavit attached hereto as EXHIBIT 3 which

    shows Appellee Orly Taitzs continued effort to have Appellant Lisa Ostella

    falsely arrested; it shows Appellee Orly Taitz, et al was well aware that Appellants

    Lisa Liberi and Lisa Ostella were two (2) separate individuals; and it shows the

    continued deceptions upon our Law Enforcement Agencies and our Courts by

    Appellee Orly Taitz, et al.

    Appellants request this Court to take Judicial Notice, pursuant to Federal

    Rules of Evidence 201, EXHIBIT 1 (the false Orange County Sheriffs

    Department Police report filed by Appellee Orly Taitz); EXHIBIT 2 (the post

    made by Appellee Orly Taitz, et al on January 29, 2010 on her website); and

    EXHIBIT 3 (Affidavit of Charles Edward Lincoln, III).

    The Orange County Sheriffs Department Police Report No. 09-068339;

    Appellee Orly Tatiz, et al January 29, 2010 post on her website; and the Affidavit

    of Charles Edward Lincoln, III, are imperative to the within action as Appellee

    Orly Taitz told the Lower Court, the U.S. District Court for the Eastern District of

    Pennsylvania, on June 25, 2009 that she had filed a Police Report against Lisa

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    Ostella for theft of her (Appellee Taitz) Defend Our Freedoms Foundations, Inc.

    monies. Appellee Orly Taitz, et al knew that she had filed a False Police Report

    against Appellant Lisa Liberi claiming that Appellants Lisa Ostella and Lisa Liberi

    were the same individual. Appellee Orly Taitz was well aware that the information

    provided to the Orange County Sheriffs Department and the Lower Court, the

    U.S. District Court for the Eastern District of Pennsylvania, was false.

    Appellee Orly Taitz, et al has also furnished and filed in the Federal

    Docketing system this same false information and allegations1

    . The documents

    which Appellants are requesting Judicial Notice of, Exhibits 1 through 3,

    show Appellee, Orly Taitz, et al continued wrongful actions which has and

    continues to damage Appellants Lisa Liberi and Lisa Ostella, which is the very

    reason Appellants brought suit and part of the reasons Appellants sought an

    Emergency Temporary Restraining Order and/or Injunction.

    A judicially noticed fact must be one not subject to reasonable dispute in

    that it is either (1) generally known within the territorial jurisdiction of the trial

    court or (2) capable of accurate and ready determination by resort to sources whose

    accuracy cannot reasonably be questioned. Fed. R. Evid. 201(b); Easy

    Sportswear, Inc. v. Am. Econ. Ins. Co., 2008 U.S. Dist. LEXIS 51402 (D. Pa.

    1Rivernider, et al v. U.S. Bank, U.S. District Court for the Southern District of Florida,

    Case No. 9:09-cv-81255-WPD

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    2008);Nationwide Life Ins. Co. v. Commonwealth Land Title Ins. Com., 2005 U.S.

    Dist. LEXIS 24479 (E.D. Pa. 2005);In re NAHC, Inc. Sec Litig, 306 F.3d 1315 (3d

    Cir. 2002) [a] court shall take judicial notice if requested by a party and supplied

    with the necessary information. Fed. R. Evid. 201(d),Easy Sportswear, Inc., 2008

    U.S. Dist. LEXIS 514002 (D. Pa 2008) at *2.

    It is firmly established that Requests for Judicial Notice are proper only to

    the extent that the noticed facts are relevant to an issue that is before the Court.

    The attached copy of the Orange County Sheriffs Department Report No. 09-

    068339, attached as EXHIBIT 1; Appellee Orly Taitz, et al January 29, 2010

    posting on her website at http://www.orlytaitzesq.com/?p=7635, attached as

    EXHIBIT 2; and the Affidavit of Charles Edward Lincoln, III attached as

    EXHIBIT 3, that Appellants are requesting Judicial Notice of, are of the type

    that have previously been admitted by Judicial Notice in the Third Circuit. This

    includes documents integral to or explicitly relied upon in the Plaintiffs

    Complaint; part of the reasons Appellants (Plaintiffs) have sought an immediate

    Temporary Restraining Order and/or Injunction; and the reasons Plaintiffs were

    forced to bring suit against the Appellees. The attached copy of the Orange

    County Sheriffs Department Report No. 09-068339, attached as EXHIBIT 1;

    Appellee Orly Taitz, et al January 29, 2010 posting on her website at

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    http://www.orlytaitzesq.com/?p=7635, attached as EXHIBIT 2; and the

    Affidavit of Charles Edward Lincoln, III attached as EXHIBIT 3 are directly

    related to this within action and are relevant to the issues herein. Moreover, the

    attached copy of the Orange County Sheriffs Department Report No. 09-068339,

    attached as EXHIBIT 1; Appellee Orly Taitz, et al January 29, 2010 posting on

    her website at http://www.orlytaitzesq.com/?p=7635, attached as EXHIBIT 2;

    and the Affidavit of Charles Edward Lincoln, III attached as EXHIBIT 3 show

    Appellee Orly Taitzs continued dishonesty and false statements and testimony to

    our Courts.In re Ravisent Techs., Inc. Sec. Litig., 2004 U.S. Dist. LEXIS 132355

    (D. Pa. 2004).

    For the above aforementioned reasons, Appellants respectfully request this

    Honorable Court to take Judicial Notice of the Orange County Sheriffs

    Department Report No. 09-068339, attached as EXHIBIT 1; Appellee Orly

    Taitz, et al January 29, 2010 posting on her website at

    http://www.orlytaitzesq.com/?p=7635, attached as EXHIBIT 2; and the

    Affidavit of Charles Edward Lincoln, III attached as EXHIBIT 3.

    Respectfully submitted,

    Dated: February 8, 2010 ____________________________

    Philip J. Berg, Esquire555 Andorra Glen Court, Suite 12

    Lafayette Hill, PA 19444-2531(610) 825-3134

    Attorney for the Appellants

    s/ Philip J. Berg

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    EXHIBIT 1

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    EXHIBIT 2

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    http://www.orlytaitzesq.com/?p=7635

    The articles posted represent only the opinion of the writers, do not necessarily represent the opinion of Dr. Taitz, ESQ, and Dr. Taitz, ESQ has no means of checking theveracity of all the claims and allegations in the articles.

    I need your help

    Posted on | January 29, 2010 |

    I need your help in sending me affidavits and screenshots of any solicitation

    e-mails or notices of solicitation of donations for DOFF (defend our freedomsfoundation) done by my former web master Lisa Ostella after 04.11.09, the

    date when she locked me out of my former foundation web site

    Category: Uncategorized

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    EXHIBIT 3

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    UNITED STATES DISTRICT COURTSOUTHERN DISTRICT OF FLORIDACase No.: 09-Civ-81255-DIMITROULEAS/SNOW

    MARSHA G. RIVERNIDER,ROBERT H. RIVERNIDER, andCHARLES EDWARD LlNCOLN, III,Plaintiffs,

    vs.U.S. BANK NATIONAL ASSOCIATION,As Trustee for the C-Bass Mortgage LoanAsset-Backed Certificates, Series 2006-CBS,and all John & Jane Does, 1-10,Defendants.

    AFFIDAVIT OF CHARLES EDWARD LINCOLN, II II, Charles Edward Lincoln, III am over the age of eighteen (18) and am a Plaintiff in the

    above-entitled-and-numbered cause. I have personal knowledge of the facts stated herein andwhen called to do so, I cap and will competently testify to the same in open court.

    I declare the following facts to be true and correct:1. On June 25, 2009, I was with Orly Taitz in Philadelphia, after the morning

    hearing in the case of Liberi v. Taitz. Pending before Judge Eduardo Robreno in the UnitedStates District Court for the Eastern District of Pennsylvania.

    2. As of that date I had only met Philip J. Berg in Court and Orly had just barelyintroduced me to him. I had never met him before that date. I had never communicated withhim before that date, although I had heard about him in connection with his several well-known litigations concerning the events of 9/11 and then in connection with Barack Obama.

    3. I had begun working on the Llberi case with Orly Taitz on June 9, 2009.

    AtlJddYffo fC/J.or.lc.Edw.ord..linco./g. QJ.UPfmg-.of; DfD IgjUr q = . t f r J f i Y ~ r T j ' e ~ r ~ a i f t T J C n ; ~ ~ r ~ a r ~ f f : ' a r r f - r - - - a m ; ' " . _ 1

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    UNITED STATES DISTRICT COURTSOUTHERN DISTRICT OF FLORIDACase No.: 09-Civ-81255-DIMITROULEAS/SNOW

    MARSHA G. RIVERNIDER,ROBERT H. RIVERNIDER, andCHARLES EDWARD LINCOLN, III,Plaintiffs,vs.

    U.S. BANK NATIONAL ASSOCIATION,As Trustee for the C-Bass Mortgage LoanAsset-Backed Certificates, Series 2006-CBS,and all John & Jane Does, 1-10,Defendants.

    AFFIDAVIT OF CHARLES EDWARD LINCOLN, IIII, Charles Edward Lincoln, III am over the age of eighteen (18) and am a Plaintiff in the

    above-entitled-and-numbered cause. I have personal knowledge of the facts stated herein andwhen called to do so, I can and will competently testify to the same in open court.

    I declare the following facts to be true and correct:1. On June 25, 2009, I was with Orly Taitz in Philadelphia, after the morning

    hearing in the case of Liberi v. Taitz. Pending before Judge Eduardo Robreno in the UnitedStates District Court for the Eastern District of Pennsylvania.

    2. As of that date I had only met Philip J. Berg in Court and Orly had just barelyintroduced me to him. I had never met him before that date. I had never communicated withhim before that date, although I had heard about him in connection with his several well-known litigations concerning the events of 9/11 and then in connection with Barack Obama.

    3. I had begun working on the LIberi case with Orly Taitz on June 9, 2009.

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    4. Orly Taitz and I rented a car (my driver's license, her credit card) after the hearingon Tuesday and we drove around New Jersey for the purpose of Orly making a police reportconcerning Lisa Ostella and to request her arrest and prosecution for fraud, forgery, and/orembezzlement of funds belonging to Defend Our Freedoms Foundations, Inc. of which OrlyTaitz was President. Orly Taitz has accused several people of forgery (See Exhibit A).

    5. Orly Taitz asked me to drive because she said she was too tired to drive, and soshe did not even give her driver's license at the car rental, although we both signed the rentalagreement.

    6. At that time I knew nothing about Lisa Ostella (except that she was a Plaintiffagainst Orly together with Lisa Liberi in Liberi v. Taitz. I did not even realize how closelyLisa Ostella and Orly Taitz had worked together.

    7. Orly Taitz said that she had reason to believe that Lisa Ostella hadmisappropriated funds belonging to her and/or her foundation.

    8. Orly Taitz carried with her several copies of a very large file which, she said,contained the evidence of Lisa Ostella's embezzlement and/or fraud.

    9. I knew absolutely nothing about the allegations against Lisa Ostella or anythingelse to do with her. I did not examine the contents of the file at all.

    10. Orly and I had been up all night the night before; the original purpose of ourmeeting was to prepare for the hearing but other things happened that night, and frankly Iwas energized and just delighted to be driving Orly around New Jersey: with someone withwhom I had spent such a wonderful, romantic, night as the night before. I was in a ratherhappy daze at the time, which seems pretty ironic and stupid now, but even "during themoment" I recall thinking that Orly was at the very least unusually intense and eccentric.

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    11. We went to several towns and I cannot at the present time recall what those townswere, but we drove a very long circuit around New Jersey. I recall that we were basicallydriving in circles around Highways 1, 130, and 206.

    12. I remember these highways between Princeton and New Brunswick because Iused to visit friends at the Institute of Advanced Studies as well as thearchaeology/anthropology and history departments at Princeton University and RutgersUniversity. But the towns Orly wanted to visit were all strange to me and I was so focusedon Orly I wasn't really thinking about the political geography.

    13. We went to several police stations and each time Orly announced herself,requested to speak to a supervising officer, and offered one of her large (apparentlyduplicate) files concerning Lisa Ostella; Orly called her various "investigative files" by theterm "Dossiers" but I am not sure which "Dossier" this was. However, the document shewas circulating on that day might have been Orly's "Dossier #6", and if not, it was a very

    "similar document.14. Exhibit A is a true and correct copy of the cover letter for Orly's famous "Dossier

    #6" which Orly had sent to U.S. Attorney General Eric Holder, FBI Chief Robert Muellerand others on April 08, 2009, which she sent in the form of an "open letter posted on theinternet and forwarded to 26,000 outlets of US and international media."

    15. The central focus of the first page of this letter are the bolded words:Dossier #6 Further evidence of forgery; more questions raised in regard to illegalcampaign contributions; efforts to undermine fundraising of dissidents, criminalelement used; more cyber crimes, defamation of character, identity theft; false leadersof the dissident constitutional movement.

    Affidavit ofCharles Edward Lincoln, III, regarding Dr. Orly Taitz 3

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    16. Each time, the officer who received her file looked at the file and told her it wasnot in the proper form of a sworn complaint, and that it appeared to have to do with events inCalifornia which had already been reported to California police and/or Federal authorities.

    17. 1 really wasn't paying much attention, 1 admit, but Orly got angry and startedarguments with officers at each point. 1 told her that it seemed futile to persist, but when wegot to the third (I think) and final police station, (some nice suburban city center, surroundedby grass, 1 cannot remember the name but 1 can picture it in my mind) it was after 5:00 p.m.and all the day staff had departed.

    18. Orly insisted on talking to someone. At first the security guard The officerpolitely told her it was out of their jurisdiction after which she started yelling. The officerwas giving us very strange looks. 1told him that she had been tlrrough a lot and he started toraise his hand as if to call time out or tell her to stop or something and 1 saw she was about toexplode at him. 1 didn't think that would have helped at all and 1 was mildly worried theofficer might think Orly was disturbed or on drugs or drunk or something (especially becauseher eyes were bulging and bloodshot from lack of sleep, even though she had slept a little inthe car during the day) so 1 grabbed her and kissed her and squeezed her and told her to calmdown, which she did, and smiled, and finally we left, without having filed any reportsanywhere. She whispered that the police were corrupt and stupid and it made her crazy. 1told her "welcome to the world that I've lived in for twenty years."

    19. The last officer told her there was no possible way that he could accept thepapers even during regular business hours because they had no system for receiving suchevidence. Orly wondered why the police were so inefficient. We drove back to Philadelphia.

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    20. It was, for me, more like a "lover's picnic" (it was a very nice, beautiful day) thananything else. Orly was agitated while she was at the Police stations but not otherwise.

    21. Periodically she would get calls from her husband and apologize to me forspeaking to him in Hebrew.

    22. I told Orly that I thought that the best way to raise the issues she wanted to raisewere by filing a counterclaim in the civil action, but she said she was afraid that it wouldmore likely cause venue to remain in Philadelphia rather than being dismissed for want ofjurisdiction or transferred out to California or Texas.

    23. I declare under the Penalty of Perjury of the Laws of the United States that theabove-and-foregoing statements of fact are true and correct.

    Signed and executed this Saturday, the 23 rd day of January. 2010 in West Palm Beach,Palm Beach County, in the State of Florida.

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    __ ____

    NOTARY ACKNOWLEDGMENT OF INDIVIDUAL

    STATE OF FLORIDA PALM BEACH COUNTY

    The foregoing affidavit was acknowledged before me, K_,,-_o_c..:::c....A _Name ofNotaryin my official presence, on this Saturday the 23 rd day of January 2010, by Charles Edward

    Lincoln, III, who appeared in person before me and, who whereupon, having producedsatisfactory legal identification at my place of business at CJ '1" \j', II (l...li-e... IlJ/ , WestPalm Beach, Florida 33409, did then and there take the oath which I duly administered to him as~ of Florida, authorized to do..Notary Public, West Palm Beach,Palm Beach County, State of Florida

    9) \ V 1\ I t Cr '" e(! J S'. T C OJ O ) ----'-_;> ' __ 1 , West Palm Beach, Florida 33409Business Address of Notary ' VEAMrDZA, MY CQMMISSION'DO 755817My Commission Expires: J11A rc& 2. i L0 I L : ! exPIRES: M8Idt 2, 20124} onIiId llW NcarJNiIO iJnclerwItIIrICommission #__D_\) - : + _ ~ ~ _ ~ I l- NOTARIAL SEALAffixed Above

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    Dossier #6Dr. Orly Taitz, ESQ26302 La Paz ste 211Mission Viejo CA 92691ph 949-683-5411fax 949-586-2082dr [email protected].

    Attorney General Eric Holder;Solicitor General Elena Kagan;Director of FBI Robert Mueller;FBI Cyber Crime division, Orange County CA,Officer Nathan LeDirector of Secret Service Mark Sullivan;Chief of Security of the Supreme Court,Officer Christine Giaccio;Chief Justice of the Supreme Court John Roberts;Legal Counsel to the Chairman of JointChiefs of Staff Admiral Mullen, Captain CrawfordVia Certified mail, return receipt, restricted delivery addressee onlyDossier #6 in the form ofopen letter posted on the internet and forwarded to 26,000 outlets of US and international mediaDossier #6 Further evidence of forgery; more questioned raisedin regards to illegal campaign contributions; efforts toundermine fundraising of dissidents, criminal element used;more cyber crimes, defamation of character, identity theft; falseleaders of the dissident constitutional movement.Please see in attachment affidavit of licensed private investigator Jorge Baro and forensicdocument examiner Sandra Ramsey Lines. Both are stating that Certification of LiveBirth posted by Obama on internet cannot be viewed as genuine and original birthcertificate from the vault in Hawaii needs to be produced to verify his place of birth andcitizenship.Further you can see a statement by Suzie Murzinski in regards to fundraising by Obamain Senegal, using Western Union. Fundraising abroad for the presidential election isillegal and this statement is consistent with prior reports of Obama illegally gettingcampaign contributions from abroad, mostly from Arabic Muslim countries.Further you can see receipts showing diversion of campaign contributions. I havereceived e-mails from donors, stating that they had problems with pay-pal. I describedthese problems in dossier #5, specifically that the e-mail address in my blog for pay-palwas changed, which prevented me from raising funds. My web master Lisa Ostella statedthat such a report gives her, as a web master. bad name and demanded that I take the

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    hacking report back. She stated that she was convinced that the changing of the e-mailaddress was done by a volunteer moderator Fran, she stated that she locked Fran from theblog and that should solve the problem. I felt that the matter needs to be investigated bythe FBI and I felt that they should draw their own conclusions. Ms. Ostella stated that if Ido not take back my complaint to FBI, she will no longer host my foundation on herserver. When I found a new web master to host my foundation, Ms. Ostella instead oftransferring the access codes and the domain, has locked me and another volunteermoderator out of the blog, posted a bizarre defamatory statement, that I supposedlyauthorized hacking into my own account and further defamatory comments about mewere placed under different names and aliases. Moreover, there were comments postedsupposedly under my name, even though I was locked out of the account and couldn' trespond. I got reports that some defamatory comments were made under alias usuallyused by Lisa Liberi, assistant for Attorney Phillip Berg, who filed similar legal actions. Istarted receiving statements and copies of pay -pal receipts, showing instead of my email address, an e-mail address of Lisa Ostella. Originally, I thought that maybe heraddress showed on the receipt, since she was a web master on the account, however,when I checked the names and dates on the receipts against the names on the roster, that Idownloaded earlier, I could see that those were not received by the foundation, thosedonations were missing.

    A couple of weeks ago I have received a phone call, providing infonnation that LisaLiberi, a paralegal, assisting Mr. Berg, has an extensive criminal r ~ c o r d . I decided toverify that. According to Mr. Neil Sankey, licensed private investigator with 20 years ofexperience in Scotland Yard and over 12 years of experience in US, those statementswere correct. Lisa Liberi aka Lisa Richardson aka Lisa Courville and other aliases had anextensive criminal record going back to 1990s, that included Grand Theft, forgery,forgery of seals "From 2000 to 2004, Liberi engaged in a complex fraud involvingfalsification of police reports, manipulation of credit bureau reports, loan fraud, andcounterfeiting of court documents resulting in hundreds of thousands of dollars in lossesto banks and credit unions." (see attachment). Please see the report attached and reportsrelating to criminal conviction in San Bernardino California. Interesting fact is that LisaLiberi was convicted recently, in March of2008, she was supposed to serve 8 years injail. Miraculously this 8 year jai l tenn was reduced to probation and an order to repay thevictims. When I added up all the restitutions in the conviction, it added up to 21,000 permonth. Where is this money coming from? Who is paying it? And paying to do what? Ihave sent an e-mail to Philip Berg, alerting him to this matter, however I did not hearfrom him back. After I raised my concerns to other parties and they confronted Liberi,she tried to claim that it is not her, but another Liberi, that she lives in PA and the oneconvicted lives in NM, however several sources confinned that she indeed lives in NM,they confinned her date of birth and appearance as matching the ones on file with the SanBernardino, CA district attorney. I tried to analyze the instances when Liberi was themost vicious in her attacks towards me and found two distinct areas:a. Obama's Natural Born status and definition of itb. my efforts to conduct investigation of illegal, criminal activity and my efforts to haveFBI and attorney generals of different states involved.In regards to the Natural Born status, she claimed that she has written pleadings for PhilBerg and that the citizenship ofObama's father is of no importance. This was repeated

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    time and again when she appeared together with Phil Berg at different radio programs. Inreality definition of Natural Born citizen is, that it is one, who is born in the country, withboth parents citizens of the country, one that does not have allegiance to any othersovereignty at birth. It appears that it was an effort to sway the public and redirectattention from the most obvious, the fact that Obama's father was not a citizen of the USand therefore he does not qualify, no matter where he was born. Did someone help Liberiavoid 8 year jail term here in CA in exchange for her efforts to cloud the issue?Second issue dealt with criminal activities surrounding Obama and his supporters. I havebeen the only one investigating those issues. Why?Another interesting fact. Plains radio had a legal action against a blog radio talk showhost Evelyn Adams aka momma E. Momma E is represented in this action by attorneyPhilip Berg. When Lisa Ostella locked me out of my own foundation, due to the fact thatshe has registered the domain before I had an opportunity to do so; she created severaldiversionary blogs and posted links to Momma E and a few other parties that are rumoredto be plants, meaning false leaders of the movement.I am not a historian and not a theologist, however this whole situation reminds me of astory ofShabtai Zvi. A few centuries ago there was a false leader in Europe, his namewas Shabtai Zvi. He claimed to be a Masaya and thousands followed him until he wassummoned by a sultan, who has given Zvi two choices:First- if you are really a Masaya, you will be executed, but you will be resurrected as aMasaya. Second - if you are not a Masaya and want to live, you have to convert to Islam.Within about five minutes Shabtai Zvi put on a Muslim garb and converted and that wasthe end of the false Masaya, false leader and false movement.Similarly here, a leader is judged by his willingness to go all the way, regardless ofhardships and risks or financial problems. You can't talk only about the birth certificateand not see an elephant in the room, which is Obama'd British citizenship at birth, basedon his father's citizenship. You can't talk about his birth certificate only and not demandimmediate investigation of his numerous reported social security numbers, reportedforgery of the Selective Service Certificate, perjury on the Illinois Bar application, all theevidence of campaign contributions fraud, charitable foundations fraud, tax fraud andnumerous reports of his supporters being engaged in cyber crimes, intimidation,harassment, identity theft and all the other related crimesDue to the above I renew my demand upon all the law enforcement agencies listed in thisdossier to conduct immediate criminal investigator, I demand on behalf of my clients QuoWarranto proceedings to resolve those issues once and for all.Sincerely,Dr. orty Taitz, ESQPh 949-683-5411Fax [email protected]

    Case: 09-3403 Document: 003110014492 Page: 24 Date Filed: 02/08/2010

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    CERTIFICATE OF SERVICE, Continued

    Neil Sankey

    The Sankey Firm, Inc. a/k/a The Sankey Firm (unrepresented)Sankey Investigations, Inc.2470 Stearns Street #162

    Simi Valley, CA 93063Email: [email protected]

    Linda Sue Belcher201 Paris

    Castroville, Texas 78009

    Email: [email protected] andEmail: [email protected]

    Ed HaleCaren Hale

    Plains RadioKPRN

    Bar H Farms1401 Bowie Street

    Wellington, Texas 79095Email: [email protected];[email protected];

    ed@barhfarnet; and [email protected]

    ________________________

    PHILIP J. BERG, ESQUIRE

    s/ Philip J. Berg

    Case: 09-3403 Document: 003110014492 Page: 26 Date Filed: 02/08/2010