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Printed: Sunday Jul. 31, 2005, 12:13 AM

April 2005
Monday

Tuesday

Wednesday

Thursday

Friday

Saturday

Sunday

28

29

30

31

10
9:00 AM Honda
Grace Period
Payment Due

11

12

13

18

19

20

14

15

16

17

21

22

23

24

29

30

9:00 AM Honda
Payment Due

25

1 of 1

26

27

28

7/31/2005 12:13 AM

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Printed: Sunday Jul. 31, 2005, 12:15 AM

May 2005
Monday

Tuesday
25

Wednesday
26

Thursday

Friday

27

Saturday

28

29

Sunday

30
8:00 PM wrote
ending

2
3:00 PM Dr. Black

3
11:00 AM Q&A:
GE Heathcare
CEO Joseph
Hogan

4
8:30 AM Lancaster
County Assistance
9:30 AM Lanc
County
Commissioners

5
10:00 AM BOLC
11:00 AM Fulton Bank Mr.
Neil

2:00 PM Thrown
Out of Court House
By Sherrifs
5:00 PM Clinton Chamber
Annua... (F&M
Alumni...)

10

11

9:00 AM Honda
Grace Period
Payment Due
10:00
AM Kopenhaver
Arguement Due

7:00
AM Courthouse
unlocked
wit... (Lancaster ...)
8:30 AM Patti
Connel
10:00 AM v. Tim Convention... (Penn
Squar...)
Deckert
7:00 PM EVITA
Hearing (Jucge
Ecke...)
7:00

8
6:00 PM Sara
McLauglin

2:00 PM Cheryl
Message
Therapist

1:00 PM bolc

6
8:00 AM Intel
Article Advanced
Media Group
9:30 AM HDC

12
8:00 AM Cheryl Hartman DJ.
Fremont Street

13
7:00 PM EVITA

14
11:00
AM Harrassment
Fines (Judge
Leo ...)
7:00 PM EVITA

10:00 AM nettleton &


finefrock (nettleton ...)
7:00 PM EVITA
7:00 PM Barnstormers Game

15
9:00 AM Cole &
Carly Birthday
11:00 AM Sprint
phone bill (home)
4:00 PM Friends of
Luis
Mendoza (Mullberry
...)
7:00 PM EVITA

PM BarnStormers
Home Game

16
9:00 AM Project
Hope (Home)
1:00 PM amg legal
protottype cd... (home)
6:00 PM Demo vote
Historic Boar... (City
Chamb...)
7:00 PM Good
Charlotte (Star Pavil...)

23

17
9:00 AM prepare
case for
Nettleton &
Finefrock
6:00
PM Springsteen
at the tower

24

18

19

10:00 AM Anthon
Suit (Nettleton ...)

9:00 AM Missing Bank


Cards (Sovergient...)

2:00 PM Mortgage
Fulton Bank
Lo... (Home)

10:00 AM Restraining
Order(Pam &... (Lancaster ...) 7:00 PM Alan
Jackson (Star
11:00 AM Pam (Gwenn &
Pavil...)
Ke...)

31

9:00 AM Fulton
11:45 AM Fulton
Mortgage (Fulton Ban...) Mortgage $1800

1 of 2

21

22

9:00 AM BK
9:00 AM Honda 1:00 PM Comcast
Meeting (Russell Payment Due
Cable Shut-off (220
Kr...)
Stone ...)

2:45
PM Philadelphia (Philadelph...)

25

26

9:00 AM Bank of America 6:00


9:00 AM Hotel
Payment $10
PM U2 (Wachovia Taxes Due
i...)
12:00 PM Chapter 11
6:00 PM Wally
Filed (Federal Ba...)
Walker JA at
Etow... (E-town
2:00 PM Reconnect
Col...)
Cable (Comcast Ca...)

30

20

27
9:00
AM Security
System (Red
Rose R...)

28
12:00 AM The
Sheryl Crow
Aquatic Center
opens (Kennet,
MO)

7:00 PM Don
7:00 PM Jimmy
Henly/Stevie
Mahler 60th
Nicks (Wachovia Bday Party

29
9:00
AM Burglaries/Called
Conestoga Police
9:00 PM Quentin At
Lucky Dog
5
6:00 PM Dave
Matthews
Band (Post Gazet...)

7/31/2005 12:15 AM

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Printed: Sunday Jul. 31, 2005, 12:16 AM

June 2005
Monday

Tuesday

Wednesday

30

31

11:45 AM Fulton
9:00 AM Fulton
Mortgage (Fulton Ban...) Mortgage $1800
D... (Any Branch)
1:00 PM Concert
Staging/Clipper... (Clipper
Ex...)

14

8:00 AM call sue ruoff mh 8:00 PM Alanis


Morisette (Kimmel
9:00 AM Call Mary
Cen...)
Steffy/mhalc (Project
Ho...)
8:00 PM Stevie Nciks/Don
Henley (Hershey Gi...)

20

21

8
8:00 AM dish
network install
10:30 AM Web
design (Site
Strux...)

15

28

12:00 PM Chamber Picnic 11:00 AM Victory


$75.00 display for banner One HUD (119th &
5t...)
12:00 PM Central
Park
Conservato... (Across
fro...)
3:00 PM C.

1 of 2

Saturday

22

29

Sunday

7:00 PM Jimmy Mahler 6:00


60th Bday Party
PM Dave
Matthews
Band (Post
Gazet...)

10

11

12

18

19

8:00 AM howells 6:00 AM Eckert


paint and glass Appeal Due (PA
Court o...)
9:00 AM Honda
Grace Period
Payment Due
9:00 AM Real Estate
Investment
... (Quality In...)
6:45 PM Aimee
Man (Roseland B...)

16

9:00 AM Bank of
America payment
$10
7:00 PM Jesse
McCartney (Giant
Cent...)

9:00 AM Hugh Grant


12:00 AM Chamber 12:00
Department of Justice
Volu...
AM Chamber
Volu...
9:00 AM Chamber Volu... 9:00 AM Honda
Payment Due
12:00 PM Chapter 11
Appeal &
Fil... (Reading Ea...)
2:00 PM U.S.
Department of
Just... (833
Chestn...)
4:00 PM One.org &
Sheryl Crow (Paris,
Fra...)

27

Friday

7:00 PM Don
Henly/Stevie
Nicks (Wachovia
P...)

9:00 AM call Joe Beseker 6:00 AM Chapter 11


to vis... (Auction In...)
Submissions
6:00 PM Andi will pickup ... (Reading)
basket... (220 )

13

Thursday

17
6:00 PM Tom
Petty (Tweeter
Ce...)

23

8:00 PM James
Taylor (Hershey St...)

24

12:00
12:00 AM Chamber
AM Chamber
Volu...
Volu...
7:00 AM
Advancing PA's
Competi... (Eden
Resor...)

30

5:00 PM Bob
Dylan &
Willie Nelson
Concert

25

26

8:00 PM Dave
Matthews/Blue
Merl... (Hershey St...)

12:00 PM Chapter
11 (Reading)
3:00 PM Canceled
Zooma
Tour-Tre... (Hershey
St...)
5:00 PM Chapter
11 (DOJ fax)

6:00 AM LIVE
8 (Global)
9:00 AM Live8
Concerts (Philadelph...)

11:00
AM Scout's
Trail (Kennet,
MO)

7/31/2005 12:16 AM

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Printed: Monday Aug. 1, 2005, 11:44 AM

July 2005
Monday

Tuesday

Wednesday

27

28

12:00
PM Chamber
Picnic $75.00
display for banner

11:00 AM Victory
One HUD (119th &
5t...)
12:00 PM Central
Park
Conservato... (Across
fro...)

Thursday

Friday

29

30

Saturday

Sunday

1
12:00 PM Chapter
11 (Reading)

2
6:00 AM LIVE 8 (Global)

9:00 AM Live8
3:00 PM Canceled Zooma Concerts (Philadelph...)
Tour-Tre... (Hershey St...)

3
11:00
AM Scout's
Trail (Kennet,
MO)

5:00 PM Chapter 11 (DOJ


fax)

3:00 PM C.
Rice (New York, ...)

7:00 PM Earth,
Wind &
Fire/Chic... (Star
Pavil...)

6:00 AM LIZZY
12:00 AM G8
BDAY (EVERYWHERE...) Summit (Edinbo...)

12:00 AM G8
Summit (Edinbo...)

9:00 AM G8
Summit (Edinbo...)

10:00 AM Nettwerk
Management (California)

8:45 AM London
Blasts (4 sites)

10

8:00
9:00
PM Quitent (Springhous...) AM Honda
Grace Period
Payment Due

2:00 PM Maddonna
EMAIL SC
"SECU... (email)
5:00 PM Cross Gates
Altercation (Cross
Gate...)

11

12

13

9:00 AM Fremont
Street
Suit (Cheryl
Har...)

11:00 AM Judgement
For Me against 1250
Fremont St...
3:00 PM Nevin Cooley

10:00 AM Charlie
Smthgall (Moyo's
Off...)

9:00
PM pp (014512429)

14

15

16

11:00 AM Tait
Towers (Lititz pa)

17
11:00 AM Dell
&
Crow (forum)

11:30 AM Gene
Pellan (Clair Brot...)

10:00 AM Art
Ward (Mayor
Smit...)
11:00 AM Nevic
Cooley (High
Offic...)
11:00 AM Tim
Swartz (Swartz
Off...)

18
7:00 PM John
Couger/John
Fogert... (Hershey
St...)

25
10:00 AM filed
brief (kennett,
M...)

1 of 2

19
12:00 PM Discover
Credit Card

20
1:00 PM MBNA AAA
Credit Card

2:00 PM Department 1:00 PM Fax to


of
Department of
Justice (Philadelph...) Ju... (Philadelph...)
6:30 PM 3 Doors
Down/Stand (Hershey
Gi...)
9:00 PM CALL TO FBI
PITTS OFFICE 2:00AM
NS ISSUE...

26
6:00 PM arrive in
Austin

27
1:00 PM Army
Intelligence
Inter... (Austin Nat...)
8:00 PM Bowling for

21
8:00 AM LONDON
BOMB BLASTS 4
LOCALS
9:00 AM Honda
Payment Due

22
2:00 AM Dept of
Justice (Philadelph...)

23

24

3:00 AM kennett (scacpool)

2:00 AM G. Dempsey (Las


Vegas)

2:00 AM FBI National


5:00 PM Haccker Security (FBI Pittsb...)
Destop
8:30 AM London - 4
Conest... (220)
Bombings (Warren-She...)
8:00
PM Cingular (Cingular
-...)
9:00 PM depart for
scac to Austin Dell

28
1:45 PM Dell,
Inc. (Dell City,...)

29

30

31

12:00 PM Clipper Stadium 9:00 AM Chapter 11 Brief 11:00


- Joe P... (Texas)
due to Judge Anita Brod... AM Files
broken into at
MG... (Las

8/1/2005 11:44 AM

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dollars (Chamelion)

Vegas)
8:00
PM Arrive
Santa
Monica (Santa
Moni...)

2 of 2

8/1/2005 11:44 AM

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D... (Any Branch)


1:00 PM Concert
Staging/Clipper... (Clipper
Ex...)

2 of 2

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P...)

7/31/2005 12:15 AM

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Printed: Wednesday Aug. 31, 2005, 7:30 PM

August 2005
Monday

Tuesday

1
12:00 PM glasses
arrive at wallmart in
kennett mo

Wednesday

2
11:00
AM Amber (Santa
Barb...)

Thursday

Friday

Saturday

10:00 AM Steve
Auslender Real
Es... (733 Santa ...)

4:00 PM Sammy
9:00 PM Pismo Beach 12:00 PM Molly
(Public Adm...)
Henderson (Lancaster
...)
6:00 PM Antenna
Stolen for
9:00 PM los Oslos
Lapt... (State Stre...)
Sherrifs Conf... (Los
Osos, ...)

10

11

3:00 PM Wells
10:30 AM Wells
6:00 AM Weldon on
Chiropractic (Message Chiropractor (Message Fox (Avila Beac...)
Th...)
Th...)
9:00 AM Honda Grace
Period Payment Due
7:30 PM Kelly
6:00 PM Sycamore
Clarkson (Giant
Springs Hot
7:00 PM barbershop
Cent...)
Tu... (Avia Beach)
girls (Clipper St...)

15
9:00 AM Defendat
Brief due, Phil Fed
Court

22

16

17

10:00 AM Did you


write the article
about...2 feli...

24

9:00
PM ASSUALTED
IN HARRY'S
BA... (Pismo
Beac...)

7:00
PM Destiny's
Child (Star
Pavil...)

13

14

20

21

11:00 AM Arlene
Davidson
Convers... (Beverly
Hi...)
1:00 PM Marcia
Silen (Beverly Hi...)
8:00 PM Gamillion
Studios (Hollywood,...)

18
7:00 AM Sheryl - 95.5
'PLJ
6:00 PM tobey
Kieth (Hershy Sta...)

23

12

Sunday

19
9:00 PM Meeting with
Joe
Pinto (Barnstorme...)

25

26

9:00
AM Honda
Payment
Due

27

28

5:00 PM Creative Zen


8:00 AM Avril - CBS
mp3
Good Morning America
player... (WagonWheel...)

29

30
10:00 AM Craig
Amhous (Clipper St...)
1:30 PM UPS
Store (John Meede...)

31

9:45 AM UPS
Store (Meedcor)
2:00 PM Sheryl USA
Today Women
... (USA Today ...)
4:30 PM Power
Station (email)

8/31/2005 7:31 PM

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Towe... (Atlantic
C...)

12:00 PM Jodie
Flight Plan

7:00 PM Cream in
NYC (Madiso...)

Style Star (Style


Star)

1:00 PM Honorable 8:00 PM DC at Symposium


Judge Anita
B... (Federal Co...)
2:00 PM U. S.
Department of
Jus... (833
Chestn...)
6:00 PM Sheryl
Get's SIRIUS on
Satellite Radio
8:00 PM Amy Grant
Special (NBC)

26

27

28

12:00 AM Cream 8:00 AM Launch New


in
AMG Website
NYC (Madiso...) 11:00 AM Sheryl on
8:00 AM IPOD 14 The View (ABC New
DAY RETURN
Yo...)

11:15
AM County
Commissioners
Me... (Lancaster
...)
1:00 PM Fulton
Bank Mom
moved
m... (One Penn
S...)
6:30 PM Sheryl
Accoustic
Set (Times
Squa...)
8:00 PM Aimee
Mann (Hawii)

9:00
10:00 PM Sirius 18
AM Wildflower
UK
Release (London)
3:00 PM Jodie on
Ellen
8:00 PM Hip Hop
Awards vh1?

29
8:00 AM I
Hope
Email (Dixie
Chic...)
10:00
AM Hopfield
School PH
Videoi
11:30 AM PA
State Tax
Exempt
Applcation
1:00 PM ab
11:00
PM Sheryl
Conan

30
12:00 AM Sheryl
Conan
7:00 AM Sheryl
CBS Early Show
8:00
AM Yarnell (yarnell)
6:00 PM Yarnell Seucurity
sys... (220)

1
2:45 AM Yarnell Calls 2
times (220)
6:00 AM Called yarnell to
fix system.

2
4:00 PM Yarnell
Security (System
Mal...)
5:00 PM Ope
Hartlow Good (Walmart
Fr...)
5:00 PM Aaron
Tippin's (Longs
Park...)
5:15
PM Conestoga
Police Arrest... (Of
Course ...)
7:00 PM Sheryl
and Lance Free
A... (Auditorium...)

10/17/2005 11:40 PM

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Printed: Monday Oct. 17, 2005, 11:40 PM

September 2005
Monday

Tuesday

Wednesday

29
Late Summer
Holiday (United
Kingdom)

30

12
8:00 AM Yarnell

31

Friday

Saturday

8:00
4:00
PM Coldplay (Madison PM Message
Sq...)
Therapist
7:00 PM Green
DAy (Wachovia
C...)

13

14

8:00 AM Rohrestown 9:00 AM Fulton


Default
Payment
... (Fulton
Ban...)
7:00 PM Sheryl
- Germany
Concert

10:00 AM Act 23 9:00 PM World Music


Fulton Bank
Awards ABC (LA)
(Tabor)
10:00 PM Slideshow
4:15 PM Cheryl 2000 Update 2005
Message (Chiro)

Sunday

10

11

10:00 AM Craig
9:45 AM UPS
Amhous (Clipper St...) Store (Meedcor) 11:00
AM Honda 1:30 PM UPS
2:00 PM Sheryl Repo
Store (John Meede...) USA Today
Company
Women ... (USA Ca... (Home)
Today ...)
4:30 PM Power
Station (email)

5
Labor Day
(United States)
Labour Day
(Canada)

Thursday

11:30
PM Sheryl
Tapes MTV
Katrin... (MTV
Studio...)

15
9:00
AM Clinton
Glob... (New
Yo...)

6:00 AM Sheryl
AOL Sessions
Sta... (1st 4 Cuts)
8:00
AM Harleysville
Insurance Payment
Due
4:00 PM Lens
Crafters Contact... (Park
City)
7:00 PM LIVE BET
Concert (Simmons
Re...)
8:00 PM LIVE -Sheryl A
Concer... (All Major
...)

9:00 AM Honda Grace


Period Payment Due

7:00 PM Sheryl
Italy
8:00 PM Sheryl React MTV Concert (Milan,
Concer... (MTV-VH1-CM...) Ita...)
8:00 PM Sheryl React MTV
Concer... (MTV-VH1-CM...)
8:00 PM Stu Higgens The
Honky T... (Symposium)

16

17

12:00 AM Clinton
12:00 AM Clinton
Glob... (New Yo...) Glob... (New Yo...)

18
10:30 AM LIVE
Farm Aid Internet

9:00 AM Sheryl World Cafe


Ses... (World
Cafe...)
12:00 PM $200
check
9:00 PM Sheryl and
Lance on 20/20
News

19
4:00 PM Jen on
Oprah

20
6:00 AM Sheryl AOL
Sessions Streaming
(Other Cut...
7:30 AM Lancaster
Chamber Non
P... (Lancaster ...)
4:00 PM Lance on
Opra (NY)

21

22

9:00 AM Honda 11:00


Payment Due
PM Sheryl
Davi... (New
8:00 PM Big
Yo...)
Apple To The
Big
Ea... (Comcast
Pa...)
8:00 PM Los
Lonley Boys At

23
8:30 AM Sheryl
ABC Good
Morning... (NY)
9:00 AM "Eyes
Wide O... (F&M
Co...)
12:00 PM Sheryl
Get's SIRIUS on
Satellite Radio

24
12:00 AM "Eyes Wide
O... (F&M Co...)
8:00 AM DVD 14 DAY
RETURN
12:00 PM Sirius Channel
18

25
12:00 AM "Eyes
Wide O... (F&M
Co...)
12:00 AM Cream
in NYC (Madiso...)

6:00 PM Siruis
6:00 PM Sheryl at Boston's Channel 18
10:00 PM Sheryl
Mix ... (Boston )

10/17/2005 11:40 PM

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Rice (New York, ...)

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7/31/2005 12:16 AM

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Rice (New York, ...)

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7/31/2005 12:16 AM

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Printed: Monday Oct. 17, 2005, 11:38 PM

October 2005
Monday

Tuesday

Wednesday

26

Thursday

27

28

12:00 AM Cream 8:00 AM Launch


in
New AMG Website
NYC (Madiso...) 11:00 AM Sheryl on
8:00 AM IPOD 14 The View (ABC New
DAY RETURN
Yo...)

11:15
AM County
Commissioners
Me... (Lancaster
...)
1:00 PM Fulton
Bank Mom
moved
m... (One Penn
S...)
6:30 PM Sheryl
Accoustic
Set (Times
Squa...)
8:00 PM Aimee
Mann (Hawii)

10:00 PM Sirius 18
9:00
AM Wildflower
UK
Release (London)
3:00 PM Jodie on
Ellen
8:00 PM Hip Hop
Awards vh1?

Friday
29

8:00 AM I
Hope
Email (Dixie
Chic...)
10:00
AM Hopfield
School PH
Videoi
11:30 AM PA
State Tax
Exempt
Applcation
1:00 PM ab

8:00 AM Hempfield 7:00 AM Sheryl


Project Hope Video On The CBS
Early... (New
9:00 AM Property 1:00 PM Judge
York)
Reclamation
Mary
12:00 PM AB
Mclaughlin
(U.S.
11:00 AM Call
3:00 PM Liz
Smokey Roberts Easte...)
3:00 PM Jessical
Phair Ellen
Vid... (Marietta
Alba ELLEN (ELLEN show
A...)
show)
3:30

1:00
PM Superior
Court of
Calif... (Malibu,
Ca...)
2:00 PM East
Lampeter
Police
Ar... (Brasserie
...)
11:00 PM U2
Takes ove...

4:00 PM AMG
Website Back
On-line

PM Comcast
Cable

30
12:00 AM Sheryl
Conan
7:00 AM Sheryl CBS
Early Show
8:00
AM Yarnell (yarnell)
6:00 PM Yarnell Seucurity sys... (220)

Sunday

1
2:45
AM Yarnell
Calls 2
times (220)
6:00
AM Called
yarnell to fix
system.

2
4:00 PM Yarnell
Security (System
Mal...)
5:00 PM Ope
Hartlow Good (Walmart
Fr...)
5:00 PM Aaron
Tippin's (Longs
Park...)
5:15
PM Conestoga
Police Arrest... (Of
Course ...)
7:00 PM Sheryl
and Lance Free
A... (Auditorium...)

11:00
PM Sheryl
Conan

8:00 AM tab
scans

Saturday

1:00 PM Paid
2:00
Conestoga Police
PM Sheryl
Speeding Fine From... at Sunset
Blvd in LA
3:00 PM District
Signing
Justice Savage (15
Giest R...)

8:00 PM New Orleans


benefit per... (Binns
Room...)

6:00 PM Email
Hempfield HS
Admin Numbers
Dont Li...
6:00 PM Out of the
Shadows (Marietta
A...)
8:00 PM Cingular
Paid $350 for
Wirefly Order

10
Thanksgiving
Day (Canada)
Columbus Day
(United States)
6:00 AM Patio
Table Smashed
9:00 AM Honda
Grace Period
Payment Due

11
1:00 PM AB Order

12
9:00 AM WIP
Report to
Harleysville A.
Mazzuchi
12:00 PM ipod
crash

13
12:00
PM Cingular

14
11:00 AM Superior
Court of CA call
8:00 PM 30 Day Ipod
8:00 PM Aimee
Mann (House of B...)

15
6:00
AM Iraq
Constitution
Vote
5:00
PM Passport
Missing
8:00
PM Aimee

16
2:00 PM Local
ACLU chapter
meet... (Friends
Me...)
6:00 PM Liz
Phair (Phil
Theat...)
8:00 PM Aimee
Mann, LA (UCLA, )

10/17/2005 11:38 PM

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10:00
AM Southern
Regional
Polic... (220)

Mann (San
Diego,...)
10:00
PM Averatec
Crash

17

18

9:00
12:00 PM Briefcase
AM Harleysville
Sticker
Insurance Letter 3:00
8:00 PM Sheryl
PM Dicodemy (100
at Mo Oct 17 :
Highla...)
T... (Theater
7:00 PM Sheryl in...)
Hollywood

19
7:30 PM MSU
"Hotel
Rwanda" (
Reighard ...)

20
9:00
AM Lancaster
Chamber
Expo (F&M)
8:00
PM Sheryl at
Th Oct 20 :
R... (Reno
Hilto...)

Bowl (Hollywood,...)
8:00 PM Sheryl Boise Idaho
Sh... (recently a...)

21
9:00 AM Honda
Payment Due

22
8:00
PM Sheryl
at Sa Oct
22 :
T... (The
Joint,...)

8:00 PM Sheryl at Fr
Oct 21 : G... (Greek
Thea...)

8:00 PM Sheryl at
Su Oct 16 : P... (
Paramount...)

23
8:00 PM Sheryl at
Fr Oct 28 :
H... (Hollywood,...)

8:00 PM Aimee
Mann (Tuscon, AZ)

24

25

8:00 PM Sheryl
at Mo Oct 24 :
C... (Copley
Sym...)

31
Halloween
(Canada)
Halloween
(United States)

26

27

8:00 AM Media, 12:00


Commu... (The AM Media,
Un...)
Commu... (The
Un...)

1
Election Day
(United States)

28
10:00 AM Sheryl on
Ellen's Show (Los
Angelo...)
6:00 PM Sheryl Pllays
The
Tower... (Philadelph...)

4
2:00 PM Dept of
Justice (Philadelph...)
6:00 PM Sheryl UK
London Concert

29

30

11:30
12:00 AM Shery &
PM Shery & Lanc... (NY)
Lanc... (NY) 8:00 PM Sheryl at
Su Oct 30 :
A... (Avery Fish...)
5
6:00
PM Sheryl
UK London
Concert

6
8:00 AM Donegal
Insurance
Payment Due 159.00

8:00 PM Sheryl
at Mon Oct 31
:A... (Avery
Fish...)

10/17/2005 11:38 PM

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Printed: Monday Oct. 17, 2005, 11:41 PM

November 2005
Monday

Tuesday
31

Wednesday

Halloween
Election Day
(Canada)
(United States)
Halloween
(United States)

Thursday

Friday

Sunday

2:00 PM Dept of
6:00 PM Sheryl 8:00
Justice (Philadelph...) UK London
AM Donegal
Concert
Insurance
6:00 PM Sheryl UK
Payment Due London Concert
159.00

8:00 PM Sheryl
at Mon Oct 31
:A... (Avery
Fish...)

Saturday

10

11

12

13

9:00 AM Honda Veteran's Day


(United States)
Grace Period
Payment Due Remembrance Day
(Canada)

14

15

16

21

22

23

18

19

20

24

25

26

27

Thanksgiving
Day (United
States)

9:00 AM Honda
Payment Due

28

17

29

30

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Printed: Monday Oct. 17, 2005, 11:38 PM

October 2005
Monday

Tuesday

Wednesday

26

Thursday

27

28

12:00 AM Cream 8:00 AM Launch


in
New AMG Website
NYC (Madiso...) 11:00 AM Sheryl on
8:00 AM IPOD 14 The View (ABC New
DAY RETURN
Yo...)

11:15
AM County
Commissioners
Me... (Lancaster
...)
1:00 PM Fulton
Bank Mom
moved
m... (One Penn
S...)
6:30 PM Sheryl
Accoustic
Set (Times
Squa...)
8:00 PM Aimee
Mann (Hawii)

10:00 PM Sirius 18
9:00
AM Wildflower
UK
Release (London)
3:00 PM Jodie on
Ellen
8:00 PM Hip Hop
Awards vh1?

Friday
29

8:00 AM I
Hope
Email (Dixie
Chic...)
10:00
AM Hopfield
School PH
Videoi
11:30 AM PA
State Tax
Exempt
Applcation
1:00 PM ab

8:00 AM Hempfield 7:00 AM Sheryl


Project Hope Video On The CBS
Early... (New
9:00 AM Property 1:00 PM Judge
York)
Reclamation
Mary
12:00 PM AB
Mclaughlin
(U.S.
11:00 AM Call
3:00 PM Liz
Smokey Roberts Easte...)
3:00 PM Jessical
Phair Ellen
Vid... (Marietta
Alba ELLEN (ELLEN show
A...)
show)
3:30

1:00
PM Superior
Court of
Calif... (Malibu,
Ca...)
2:00 PM East
Lampeter
Police
Ar... (Brasserie
...)
11:00 PM U2
Takes ove...

4:00 PM AMG
Website Back
On-line

PM Comcast
Cable

30
12:00 AM Sheryl
Conan
7:00 AM Sheryl CBS
Early Show
8:00
AM Yarnell (yarnell)
6:00 PM Yarnell Seucurity sys... (220)

Sunday

1
2:45
AM Yarnell
Calls 2
times (220)
6:00
AM Called
yarnell to fix
system.

2
4:00 PM Yarnell
Security (System
Mal...)
5:00 PM Ope
Hartlow Good (Walmart
Fr...)
5:00 PM Aaron
Tippin's (Longs
Park...)
5:15
PM Conestoga
Police Arrest... (Of
Course ...)
7:00 PM Sheryl
and Lance Free
A... (Auditorium...)

11:00
PM Sheryl
Conan

8:00 AM tab
scans

Saturday

1:00 PM Paid
2:00
Conestoga Police
PM Sheryl
Speeding Fine From... at Sunset
Blvd in LA
3:00 PM District
Signing
Justice Savage (15
Giest R...)

8:00 PM New Orleans


benefit per... (Binns
Room...)

6:00 PM Email
Hempfield HS
Admin Numbers
Dont Li...
6:00 PM Out of the
Shadows (Marietta
A...)
8:00 PM Cingular
Paid $350 for
Wirefly Order

10
Thanksgiving
Day (Canada)
Columbus Day
(United States)
6:00 AM Patio
Table Smashed
9:00 AM Honda
Grace Period
Payment Due

11
1:00 PM AB Order

12
9:00 AM WIP
Report to
Harleysville A.
Mazzuchi
12:00 PM ipod
crash

13
12:00
PM Cingular

14
11:00 AM Superior
Court of CA call
8:00 PM 30 Day Ipod
8:00 PM Aimee
Mann (House of B...)

15
6:00
AM Iraq
Constitution
Vote
5:00
PM Passport
Missing
8:00
PM Aimee

16
2:00 PM Local
ACLU chapter
meet... (Friends
Me...)
6:00 PM Liz
Phair (Phil
Theat...)
8:00 PM Aimee
Mann, LA (UCLA, )

10/17/2005 11:38 PM

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10:00
AM Southern
Regional
Polic... (220)

Mann (San
Diego,...)
10:00
PM Averatec
Crash

17

18

9:00
12:00 PM Briefcase
AM Harleysville
Sticker
Insurance Letter 3:00
8:00 PM Sheryl
PM Dicodemy (100
at Mo Oct 17 :
Highla...)
T... (Theater
7:00 PM Sheryl in...)
Hollywood

19
7:30 PM MSU
"Hotel
Rwanda" (
Reighard ...)

20
9:00
AM Lancaster
Chamber
Expo (F&M)
8:00
PM Sheryl at
Th Oct 20 :
R... (Reno
Hilto...)

Bowl (Hollywood,...)
8:00 PM Sheryl Boise Idaho
Sh... (recently a...)

21
9:00 AM Honda
Payment Due

22
8:00
PM Sheryl
at Sa Oct
22 :
T... (The
Joint,...)

8:00 PM Sheryl at Fr
Oct 21 : G... (Greek
Thea...)

8:00 PM Sheryl at
Su Oct 16 : P... (
Paramount...)

23
8:00 PM Sheryl at
Fr Oct 28 :
H... (Hollywood,...)

8:00 PM Aimee
Mann (Tuscon, AZ)

24

25

8:00 PM Sheryl
at Mo Oct 24 :
C... (Copley
Sym...)

31
Halloween
(Canada)
Halloween
(United States)

26

27

8:00 AM Media, 12:00


Commu... (The AM Media,
Un...)
Commu... (The
Un...)

1
Election Day
(United States)

28
10:00 AM Sheryl on
Ellen's Show (Los
Angelo...)
6:00 PM Sheryl Pllays
The
Tower... (Philadelph...)

4
2:00 PM Dept of
Justice (Philadelph...)
6:00 PM Sheryl UK
London Concert

29

30

11:30
12:00 AM Shery &
PM Shery & Lanc... (NY)
Lanc... (NY) 8:00 PM Sheryl at
Su Oct 30 :
A... (Avery Fish...)
5
6:00
PM Sheryl
UK London
Concert

6
8:00 AM Donegal
Insurance
Payment Due 159.00

8:00 PM Sheryl
at Mon Oct 31
:A... (Avery
Fish...)

10/17/2005 11:38 PM

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Printed: Monday Oct. 17, 2005, 11:41 PM

November 2005
Monday

Tuesday
31

Wednesday

Halloween
Election Day
(Canada)
(United States)
Halloween
(United States)

Thursday

Friday

Sunday

2:00 PM Dept of
6:00 PM Sheryl 8:00
Justice (Philadelph...) UK London
AM Donegal
Concert
Insurance
6:00 PM Sheryl UK
Payment Due London Concert
159.00

8:00 PM Sheryl
at Mon Oct 31
:A... (Avery
Fish...)

Saturday

10

11

12

13

9:00 AM Honda Veteran's Day


(United States)
Grace Period
Payment Due Remembrance Day
(Canada)

14

15

16

21

22

23

18

19

20

24

25

26

27

Thanksgiving
Day (United
States)

9:00 AM Honda
Payment Due

28

17

29

30

10/17/2005 11:41 PM

October 05, 2005 Continued


Wednesday
3:00 PM - 4:00 PM

Liz Phair Ellen show

3:30 PM - 6:00 PM

Comcast Cable

October 06, 2005


Thursday
1:00 PM - 2:00 PM

Superior Court of California Filing -- Malibu, California

Filed petitions for estate, and cause of death.

2:00 PM - 11:00 PM

East Lampeter Police Arrest -- Brasserie Restuarant, Lancaster, PA

Filed with California Superior Court for Sammy's Petitions via Willow
Street Post Office. Then headed to Cingular on Lincoln Hwy East,
stopped for lunch at Brasserie. Girl jumped in front of me going in,
SC look alike. 2 girls, noticed SU, with conversation. Stayed to
educate.
One girl, in firs half our, told me to "Get the Fuck OUT"
when I told her about the CIA. Girl next to me was always
delightful, however, she kept running out to her car. Good Cop Bad
Cop strategy? Anyway, the entire bar was baiting me the whole time,
especially about Sheryl and Lance.
Trouble started when a man, balding, light blue shirt, hands folded,
standing behind me yelled at me about the Marines, trying to
intimidate me. I told him, he was just pissed off about the Marine
indicted at the White House for espionage the day before. All hell
broke out, and the bartender lied about the number of drinks I had,
and told me I'm flagged. Demanded I pay for the bill, I said, no,
I'll pay when I'm read

11:00 PM - 12:00 AM

U2 Takes over Conan Show

October 07, 2005


Friday
1:00 PM - 2:00 PM

Paid Conestoga Police Speeding Fine From Sunday

3:00 PM - 4:00 PM

District Justice Savage -- 15 Giest Road

see 1987

8:00 PM - 9:00 PM

New Orleans benefit performance to open Twilight Concert Series -- Binns Room 42 S. Prince St.
Acedamy of Music

October 08, 2005


Saturday
2:00 PM - 3:00 PM

Sheryl at Sunset Blvd in LA Signing

October 10, 2005


Monday
6:00 AM - 7:00 AM

Advanced Media Group

Patio Table Smashed

9/25/2006 10:03 AM

October 10, 2005 Continued


Monday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

10:00 AM - 11:00 AM

Southern Regional Police Visit -- 220

Chief Firell responds and takes report - said he would send


assignment number for insurance.

October 11, 2005


Tuesday
9:00 AM - 10:00 AM

#7 Wildflower wk 2 - 108,500 -- USA

1:00 PM - 2:00 PM

AB Order

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYL.VANIA
IN THE MATTER OF:
STANLEYJ. CATERBONE,
Debtor-Appellant
NO. 05-3689
BKY. NO.05-23059TMT
V.

CIVIL ACTION

United States Trustee

ORDER
AND NOW, thls 5th day of October 2005, it is ORDERED that the abovecaptioned
case is reinstated in the United States Bankruptcy Court for the
Eastern District of Pennsylvania,
provided that Debtor-Appellant comply with the rules and requirement

October 12, 2005


Wednesday
9:00 AM - 10:00 AM

WIP Report to Harleysville A. Mazzuchi

12:00 PM - 1:00 PM

ipod crash

ipod crash at Fremont Street.

October 13, 2005


Thursday
12:00 PM - 1:00 PM

Cingular

4 Customer Service Reps, will provide an audit within 7 days.

October 14, 2005


Friday
11:00 AM - 12:00 PM

Superior Court of CA call

Ann, wanted to know what to do with docs.


messages.
Advanced Media Group

Never called back.

Left 2

9/25/2006 10:03 AM

October 14, 2005 Continued


Friday
8:00 PM - 9:00 PM

Aimee Mann -- House of Blues Anaheim, CA

8:00 PM - 8:30 PM

30 Day Ipod

Circuit City gave Upgrade Comment for New Video to swap, given at
store.

October 15, 2005


Saturday
6:00 AM - 7:00 AM

Iraq Constitution Vote

Est 65%
High Sunni Vote

October 16, 2005


Sunday
2:00 PM - 5:00 PM

Local ACLU chapter meeting -- Friends Meeting House, 110 Tulane Terrace

October 17, 2005


Monday
9:00 AM - 10:00 AM

Harleysville Insurance Letter

Still under investigation, reason for case not closed when due.

3:00 PM - 3:30 PM

Dicodemy -- 100 Highlands Dr.,Suite 307,Lititz, PA 17543

8:00 PM - 9:00 PM

Sheryl at Mo Oct 17 : Theater in Clouds, Portland, OR -- Theater in Clouds, Portland, OR

October 18, 2005


Tuesday
All Day

Briefcase Sticker

9:00 AM - 10:00 AM

#23 Wildflower wk 3 - 58,900 -- USA

9:30 AM - 10:30 AM

Live B II -- 220

exec prod sc
prod sclajf
star mk.......
creat con glb

8:00 PM - 9:00 PM

Advanced Media Group

Aimee Mann -- Tuscon, AZ

9/25/2006 10:03 AM

October 19, 2005


Wednesday
10:00 AM - 11:00 AM

Hugh Ward, Dept of Justice -- Mobile Phone

Do not need DIP account, and do not have to submit anymore docs for
first meeting. Instructions will follow.

1:00 PM - 2:00 PM

Motorola -- Von Phone

will recieve by the 27th. She said they should have given a tracking
no. before returning, only gave ra no. They recived ra on the 13th.

7:30 PM - 9:30 PM

MSU "Hotel Rwanda" -- Reighard Multipurpose Room in the Student Memorial Center

very good crowd and attendance, standing room out in the lobby.

October 20, 2005


Thursday
9:00 AM - 10:00 AM

F&M Lancaster Chamber Expo

9:00 AM - 10:00 AM

Lancaster Chamber Expo -- F&M

1:30 PM - 2:30 PM

forum post -- LCPD

would not give me a private meeting.

8:00 PM - 9:00 PM

told 3 people in lobby.

Canceled Sheryl at Th Oct 20 : Reno Hilton Pavilion, Reno, N -- Reno Hilton Pavilion, Reno, NV

October 21, 2005


Friday
9:00 AM - 10:00 AM

Honda Payment Due

1:00 PM - 2:00 PM

Reagan Library Air Force One dedication

said mad, your right, something not right

8:00 PM - 9:00 PM

Canceled? Sheryl at Sa Oct 24 : The Joint, Las Vegas, N -- The Joint, Las Vegas, NV

8:00 PM - 9:00 PM

Sheryl at Fr Oct 21 : Greek Theater, Berkeley, CA -- Greek Theater, Berkeley, CA

October 22, 2005


Saturday
1:00 PM - 2:00 PM

East Lampeter Citations -- us mail

Docket No. CR-408-05


OTN- L260045-2
Hearing Nov 17, 3:00pm

October 23, 2005


Sunday
8:00 PM - 10:15 PM

Advanced Media Group

Sheryl - Hollywood Bowl -- Hollywood, CA

9/25/2006 10:03 AM

October 24, 2005


Monday
6:00 AM - 7:00 AM

WILMA hits Miami, Ft. Lauderdale

Leak case heats up....

8:00 PM - 9:00 PM

Sheryl at Mo Oct 24 : Copley Symphony Hall, San Diego, CA -- Copley Symphony Hall, San Diego, CA

11:00 PM - 12:00 AM

Excelsior Update to website no link yet

October 25, 2005


Tuesday
7:00 AM - 8:00 AM

Iraq Draft Constitution Adopted

70% for 21% against


voter turnout -

9:00 AM - 10:00 AM

2 Airports Bomb Threats - California -- John Wayne - Long Beach Airports

Evacuaated morning after Sheryl's San Diego Concert

9:00 AM - 10:00 AM

Wildflower wk 4 - 45,900

3:00 PM - 4:00 PM

usps pf

October 26, 2005


Wednesday
8:00 AM - 12:00 AM

Media, Communications & Technology in the Age of the Blogger -- The Union League Club of New York,
38 East 37th Street,

October 27, 2005


Thursday
12:00 AM - 6:00 PM

Media, Communications & Technology in the Age of the Blogger -- The Union League Club of New York,
38 East 37th Street,
Please See Above

1:00 AM - 2:00 AM

gas at 2.29 hess

October 28, 2005


Friday
9:00 AM - 10:00 AM

Meeting with Judge Mary McGlaughlin -- Federal Courthouse, Philadelphia

met with her, and at least 4 staffers

10:00 AM - 11:00 AM

Sheryl on Ellen's Show -- Los Angelos

6:00 PM - 7:00 PM

Sheryl Pllays The Tower In Philly -- Philadelphia, PA

10:00 PM - 11:00 PM

Sheryl at Tower -- Upper Darby, Philadelphia

only saw last 2 songs

Advanced Media Group

9/25/2006 10:03 AM

October 28, 2005 Continued


Friday
October 29, 2005
Saturday
11:30 PM - 12:00 AM

Shery & Lance SNL -- NY

October 30, 2005


Sunday
12:00 AM - 12:30 AM

Shery & Lance SNL -- NY


Please See Above

October 31, 2005


Monday
8:00 PM - 9:00 PM

Sheryl at Mon Oct 31 :Avery Fisher Hall, New York, NY -- Avery Fisher Hall, New York, NY

all done til next year....

November 01, 2005


Tuesday
9:00 AM - 10:00 AM

Wildflower wk 5 - 34.800

10:00 AM - 10:30 AM

District Justice Savage Meeting -- 15 Geist Road, Lancaster

Requested a change of venue. DJ Williams? told me to go to County


Court House to the Court Administrator

11:00 AM - 11:30 AM

Lancaster County Court Administrator -- Lancaster County Courthouse

Will change to another District Justice. Cited the Affidavit and


1987 abuse in Giest Road during arrest by MT Police, Horton and
Reeser.

November 02, 2005


Wednesday
9:00 AM - 10:00 AM

Sheryl release home bside/cr?

November 04, 2005


Friday
11:00 AM - 3:00 PM

called Hugh Ward about appointment -- Philadelphia

Submitals before meeting.


to reschedule.

Resend original submitals.

48 hour notice

was not in, left message to call if we needed to meet, told him by
back was bad and not able to drive, reschedule for mon or tue.

5:00 PM - 6:30 PM

Cheryl Cancels Appt

1st kettering said ok 6:45, then called five minutes later to cancel
with Cheryl. said she was booked.

Advanced Media Group

9/25/2006 10:03 AM

November 04, 2005 Continued


Friday
6:00 PM - 7:00 PM

Sheryl UK London Concert

November 05, 2005


Saturday
2:00 PM - 2:30 PM

Called Matropietro and Dr Pool

called for appt - both said to go to emergency room

November 06, 2005


Sunday
7:00 AM - 10:00 AM

Lancaster Regional Hospital Emergency Room

too much pain. went for pain pills.

did not help

November 07, 2005


Monday
8:00 AM - 9:00 AM

Depost $150 Suburban 2440 dairy rd 898-2267

11:30 AM - 1:00 PM

State of the County11/7/200511:30 AM to 1:00 PM

November 08, 2005


Tuesday
9:00 AM - 10:00 AM

forge

9:00 AM - 10:00 AM

Suburban Propane Install

100 lb 48 gal tank 150.00

9:00 AM - 10:00 AM

Wildflower wk 6 - 31,000

November 14, 2005


Monday
4:00 PM - 5:00 PM

Lancaster County Criminal Prothonetary Office -- Lancaster County Courthouse

2 documents were not served including the notice for hearing and the
notice regarding appeal decision. Clerks were not very helpful, and
kept giving excuses as to why I never received any notices.
Always
quick to take my mone for the 2 copies.
Went to Treasurers office, again very condensending, however always
smileing when taking my 68.16 for an appeal that I was never granted
any access to the courts to present my case or more importantly to
appeal my case, yet I paid them for what?

November 15, 2005


Tuesday
9:00 AM - 10:00 AM

Advanced Media Group

Wildflower wk 7 - 22,300

9/25/2006 10:03 AM

November 15, 2005 Continued


Tuesday
8:00 PM - 9:00 PM

cma awards

November 16, 2005


Wednesday
9:00 PM - 11:00 PM

Johnny Cash Special

November 17, 2005


Thursday
9:00 AM - 10:00 AM

Napster Free Trial Ends - 14.95 -- Online

3:00 PM - 4:00 PM

656-2191District Judge Ron Savage Court Hearing -- 15 Geist Road, Lancaster, PA 17601

8:00 PM - 8:30 PM

Aimee 790706203960 - Keswick Theatre, Glenside, PA

November 18, 2005


Friday
9:00 AM - 9:30 AM

Johnny Cash I Walk the Line Release

November 21, 2005


Monday
9:00 AM - 10:00 AM

Reading Courtroom Creditors Meeting

12:30 PM - 1:00 PM

Creditors Meeting Courtroom 1

November 22, 2005


Tuesday
9:00 AM - 10:00 AM

#66 Wildflower wk 8 - 19,200

1:00 PM - 2:00 PM

Joss Package per Feb 05

8:00 PM - 9:00 PM

ama awards

November 24, 2005


Thursday
9:00 AM - 10:00 AM

Sheryl Plays at Dallas Cowboys For Salvation Army. -- Dallas, TX

November 25, 2005


Friday
3:00 PM - 3:30 PM

Advanced Media Group

Caden Born 5 lbs.

10

9/25/2006 10:03 AM

November 27, 2005


Sunday
4:00 PM - 4:30 PM

Walk the Line-Manor Cinema

November 28, 2005


Monday
All Day

Smart Document solutions 8004640035 -- CC47263/0078719539

www.sdspayonline.com

7:00 AM - 8:00 AM

Sheryl & He Mom at Aquatic Center Mom CBS -- Keneet Pool

9:00 AM - 10:00 AM

Walk the Line/manor cinema

November 29, 2005


Tuesday
9:00 AM - 10:00 AM

# 54 Wildflower wk 9 - 31,400

1:00 PM - 2:00 PM

Chapter 11 fees -- Reading Clerk of Courts

Paid fee schedule. Clerk provide details for Dec 15 creditors


meeting, along with mandatory requirements.
Addendums and
supplimentals to schedules for creditors.

8:00 PM - 9:00 PM

Sheryl & Lance 2020 -- ABC 20/20

November 30, 2005


Wednesday
9:00 AM - 10:00 AM

Lancaster County Commmissioners Meeting -- lancaster County Courthouse

Art Moris gave recomendations for County Solicitor - excellent.


Convention Center debate; this is exactly what happens when everyone,
including LCCA and County Commisioners conduct business via back room
operations. Everyone seems to forget back in 1998 the enthusiasm for
the project and who killed it - Hoteliers and the lawyers.
The current state of affairs and the financial losses to date is
exactly what happens when politics and maybe even corruption drag out
a project for seven years without ever breaking ground - THE LAWYERS
GET RICH! and the Taxpayers pay the price. Enought blame for
everyone on this one.
If you want to play small town politics, then be happy with a small
and stagnent town, otherwise clean up this corruption.

10:00 AM - 11:00 AM

Charlie Smithgall -- City Hall

visited with Dee, she explained the proposal for the Lancaster Press
Building and we discussed the skyline debate and project.

3:00 PM - 4:00 PM

Dr. Newman, Chiropractor -- Leola Family Health Center

Laser Treatment for groin.

Advanced Media Group

11

9/25/2006 10:03 AM

November 30, 2005 Continued


Wednesday
4:00 PM - 5:00 PM

Mazzi's Ralph Mazzochi -- Leola

Stopped to say hi to Ralph.

December 01, 2005


Thursday
11:00 AM - 11:30 AM

Judge Twardowski Hearing Courtroom 1 3rd Floor -- Reading, PA

Fee Schedule
Cancelled, paid on Tuesday

11:00 AM - 11:30 AM

Reading Court Hearing

December 02, 2005


Friday
2:00 AM - 3:00 AM

East Lampeter Addendum for Hearing -- desktop

East Lampeter Citation Addendum to notes:


1.
After walking outside I tried to give my credit card to the
officer to pay for my bar tab, officer refused to take the credit
card so I threw the credit card on the ground. I told the officer
that the bartender tried to charge me for 8 drinks, which was not
true. I asked the bartender to see my tab with my drink totals on
it, she refused. Thats when I told her to call the police. She
inflated my drink total and would not let me see the tab or the
computer print out of my bar tab.
2.
I never yelled obscenities at the police that I can remember,
however, I do remember becoming furious when they did not let me pay
my tab, and especially when they said that I was too drunk to drive
my car home and insisted that I get a taxi home.
3.
I was especially concerned about leaving my car at the bar
because of all of my documents for my court cases that were in the
car. I did not want another incident of people accessing my files,
like what h

2:15 PM - 3:15 PM

Dr. Newman - Laser Treatment -- Leiola Family Health Center

2nd Treatment

December 03, 2005


Saturday
8:00 PM - 9:00 PM

The Players in Vegas -- Mandalay Bay,Las Vegas, NV

WHO: Special appearance by Lance Armstrong and an acoustic set by


Sheryl Crow.
WHERE: Mandalay Bay
WHEN: Saturday, December 3rd
TIME: 7 p.m., General Reception; 8:00 p.m. Dinner, Entertainment,
Live & Silent Auction.
TICKETS: Tickets are $500 each. For more information please call The
Leukemia & Lymphoma Society office at (702) 436-4220

Advanced Media Group

12

9/25/2006 10:03 AM

December 05, 2005


Monday
9:00 AM - 10:00 AM

East Lampeter Hearing -- 424 S. Angle Street,Mount Joy, PA 17552 656-2191

Charges withdrawn - May or may not be reissued by Judge Ruetter.


What a crazy discussion and hearing. Judge gave me the finger in the
end while pointing to PA on a piece of paper. I'll save the
specifics and details for myself on this one.
I DO NOT NEED A LAWYER TO TELL THE TRUTH!
OF COURSE, EVEN THE BEST LAWYERS ARE NEGATED TO INEFFECTIVE COUNSEL
IN CORRUPT COURTROOMS.

12:00 PM - 1:00 PM

Laser Treatments -- Dr. Newman, Leola

December 06, 2005


Tuesday
7:00 AM - 8:00 AM

ebay account hacked -- eBay account

23 ipods listed from my store from Bejing China

8:00 AM - 9:00 AM

ifcc fbi I05120608348825 -- fbi internet fraud unit

ifcc internet fraud account


I05120608348825
sullit

9:00 AM - 10:00 AM

#65 Wildflower wk 10 - 23,600

December 07, 2005


Wednesday
11:00 AM - 12:00 PM

Dr. Black -- WillowStreet

request for records

December 08, 2005


Thursday
8:00 PM - 12:00 AM

fiona - tower -- Phil 69th street

black ice - roads too bad to trave


smiller

4:00 AM - 5:00 AM

IFCC FBI I05120804514805 -- fbi internet fraud unit

I05120804514805
hudasi
You are about to submit a complaint with the IFCC.
Please review your information prior to submission.
A PDF copy of your complaint will be emailed to:
amgroup01@msn.com
IFCC COMPLAINT REFERRAL FORM
The following information was provided by the victim and may be
forwarded
to the appropriate law enforcement or regulatory agencies.
Computer Intrusion/Hacking
Date of Complaint: 12/8/05 4:51:15 AM
Advanced Media Group

13

9/25/2006 10:03 AM

December 08, 2005 Continued


Thursday
Victim Information
Business Name: Advanced Media Group andGlobal Entertainment
Group
Name: Stan J Caterbone
DOB: 07/15/1958
Gender: M
Phone #: 7177995915
Email: amgroup01@msn.com
Street Address: 220 Stone Hill Road
Suite/Apt/Mail Stop:
City: CONESTOGA
Live in city limits: No
County: Lancaster State:PA Zip: 17516
Country USA
Do you have pertinent documents in paper form? No
Please indicate who your local law enforcement agency is:
Southern Regional Police Department
Please List the easiest way and most convenient time to contact you:
phone and

9:15 AM - 10:15 AM

Laser Treatments -- Leola Family Health Clinic

3:00 PM - 4:00 PM

take website down -- omnis

took offline

December 09, 2005


Friday
12:00 AM - 10:30 PM

fiona - tower -- Phil 69th street


Please See Above

11:00 AM - 12:00 PM

ujoe -- cell

again
trouble for myself?

December 12, 2005


Monday
1:00 PM - 2:00 PM

CD/DVD Writer Hacking -- Cyberwarehouse,Lancaster

tried to restore sys.config - did not work


tried to install new cd/dvd writer - did not work
said to reinstall operating system and reinstall all software
was able to write to 3 cd on Iomega drive before it was hacked early
am
cd writer and dvd writer hacked last month

4:00 PM - 5:00 PM

Comcast Cable Disconected? -- dirty rotten scondrels

8:00 PM - 9:00 PM

Elton John Red Piono -- NBC

Advanced Media Group

14

9/25/2006 10:03 AM

December 13, 2005


Tuesday
9:00 AM - 10:00 AM

#67 Wildflower wk 11 - 23,600

9:00 AM - 10:00 AM

LNP The Forgotten Soldier

Forgotten soldier
Hempfield grad was on a top-secret mission in Vietnam; his role and
details of his death were kept from family for many years
By AD CRABLE, New Era Staff Writer
Henry Gerald Gish, Lancaster County's forgotten Vietnam soldier,
saved the lives of his buddies. He was dead at the time. After
nightfall on March 11, 1968, the secret radar base Gish and 18 other
hand-picked Americans were running atop a cliff in the Laos jungle
came under attack by daring North Vietnamese commandos. The illequipped Air Force soldiers, technically Civilians at the time,
scrambled for cover in a hail of bullets and rocket shells. The 25year-old Gish, the kid of the group, and four others piled into a
cave on the mile-high precipice, dubbed Lima Site 85 by the U.S.
government.
Gish was killed early on by a ricocheting bullet. When a grenade was
lobbed into the cave, his body was dragged onto the explosive. Three
airmen survived because of that. But the United States was not
supposed to

December 15, 2005


Thursday
1:00 AM - 2:00 AM

Iraq Votes -- Iraq

Iraq Votes

12:30 PM - 1:30 PM

Meeting of Creditors Reading Courtroom 1 3rd Floor610-320-5255 -- 400 Washington Street,


Reading,pa

341 Meeting with Mr. Ward of Department of Justice, No Creditors


attended. Routine meeting to clarify under oath schedules submitted.
Said to submit all filings to Reading Courts and would only hear from
DOJ if anything additional is needed. Asked when able to file
reorginaztion plan, answered "hard to answer at this time without any
further information from Judge Maclachlin of Eastern Regional
District Courts".

3:00 PM - 4:00 PM

Groff Heating & Cooling -- 220 Maintenace

2nd No Show

December 16, 2005


Friday
12:00 PM - 1:00 PM

Sheryl Live on Howard Stern -- New York city

Great Concert and interview by HS

7:00 PM - 8:00 PM

The Marsch sisters-White House Xmas Singers -- Hollinger House, Willow Valley

Open House and concert

11:00 PM - 11:30 PM

Advanced Media Group

Josh Creative Completed

15

9/25/2006 10:03 AM

December 17, 2005


Saturday
All Day

ibwsc

6:00 AM - 7:00 AM

Judge McLaughlin Hearing Request -- Stone Hill

Stanley J. Caterbone (pro se)


220 Stone Hill Road
Conestoga, PA
17516
United States District Court for the Eastern District of Pennsylvania
Honorable Judge Mary A. McLaughlin
Room # 13614
601 Market Street, Room 2609
Philadelphia, PA 19106-1748
Phone: (215) 597-7704
Fax: (215) 597-6390 600
Re: Case No. 05-2288
Honorable Judge Mary A. McLaughlin,
On Thursday, December 15th, in the United States Bankruptcy Court for
the Eastern District of Pennsylvania, I had my 341 Conference with
Mr. Ward of the Trustees office of the Department of Justice, under
oath. This meeting was recorded by Mr. Ward; the only persons
present were a Security Officer of the courts, myself, and Mr. Ward.
No creditors elected to attend.
During our meeting I was asked to determine the date of time in which
I will be able to submit my reorganization plan to the courts as
prescribed by law. My answer was that I have not had access to the
above aforementioned case, and until I do, it wo

December 19, 2005


Monday
2:00 PM - 3:00 PM

3 rd No Show Groff Heating & Cooling -- 220 Maintenace

3rd No Show

December 20, 2005


Tuesday
9:00 AM - 10:00 AM

#73 Wildflower wk 12 - 23,600

December 21, 2005


Wednesday
9:00 AM - 10:00 AM

Honda Payment Due

10:00 AM - 11:00 AM

Budget Submittals to Reading

Nov - Done

4:00 PM - 5:00 PM

Laser Treatment -- Leola, Pa

5th treatment.

Advanced Media Group

16

9/25/2006 10:03 AM

December 21, 2005 Continued


Wednesday
8:00 PM - 9:00 PM

Christmas Adoption showSheryl Crow, The Goo Goo Dolls, Toni Braxton and Yolanda Adams -- CBS

December 23, 2005


Friday
10:00 PM - 11:00 PM

Men in Black Johny Cash Tribute -- Chamilion Club, Lancaster

December 27, 2005


Tuesday
9:00 AM - 10:00 AM

#72 Wildflower wk 13 -

December 28, 2005


Wednesday
8:00 AM - 8:30 AM

Cyberwarehouse Restore System -- Lancaster, PA

$50 to restore to factory settings


$45 wireless pci card for old HP Laptop

December 31, 2005


Saturday
4:30 AM - 5:30 AM

Depart for Los Cabos SouthWest Fl to Houston 7:20am -- 220 Stone Hill

charged me an extra $25 for luggage that they ended up loosing later
in the day in Houston.

January 01, 2006


Sunday
7:00 AM - 8:00 AM

Continetal Airlines Could not talk to anyone about problem

finally at about 8:30 talked to Continental at ticket counter, no


flights, all booked untlil Wednesday. Put me on stanby for other
flights that day, but said probably would not get on a flight. Kept
arguing about problem with several ticket agents,very abusive and
controlling, kept trying to intimidate me.

January 02, 2006


Monday
5:00 AM - 6:00 AM

Nikki Beach -- Gave me a Suana and Shower for free

7:00 AM - 11:00 PM

Breakfast at Nikki Beach -- Nikke Beach PVR

Stayed on Beach all day, had to buy shorts, tshirt, and sandles.
Went to eat and came back to bar on beach at night, re Iraq, sheryl,
and music.

January 03, 2006


Tuesday
All Day

Wildflower Goes Platinum 1 Million Copies

If you go to Billboard.com and look under the top 200 album charts, Sheryl is like 71 but it list
that her album has gone platinum!!!!! This is great news that people can appreciate her talent
Advanced Media Group

17

9/25/2006 10:03 AM

January 03, 2006 Continued


Tuesday
enough to love an album that isn't commercial in any shape or form. I also noticed that on this
album, much like The Globe Sessions, the best songs on the albums have been written by
Sheryl..."I know why, Perfect lie, wildflower, and Always on your side"!!!!! On the Globe
Sessions Sheryl solely wrote, "The difficult kind, anything but down, riverwide, and a few
others!!!! And, she was nominated for grammys for a few of these songs. Congrats Sheryl on
your 6th platinum (most multiplatinum) album.
7:00 AM - 8:00 AM

Honda Inspections -- Manhiem Pike, Lancaster

9:00 AM - 10:00 AM

Finally got a flight out to Houston -- PVR

again, abuse and intimidation by Continental emplyees, not happy


about me getting a flight. Had to pay additional charge of $100 for
ticket.

January 04, 2006


Wednesday
All Day

Wildflower Goes Platinum 1 Million Copies


Please See Above

January 05, 2006


Thursday
5:15 AM - 6:15 AM

Letter to Editor Drew Anthon -- Lancaster Newspapers

Civility, professional etiquette, and the public discourse for the


Lancaster Convention Center debate. Tonight at the meeting at Farm
and Home, I had approached Mr. Drew Anthon and politely asked him to
discuss and settle my civil complaint. This was the third attempt I
had made in person. Again, he walked away and would not respond.
In April I had filed a civil complaint in the Court of Common Pleas
of Pennsylvania, against Mr. Anthon, and the Eden Resort Inn for
publicly inciting the withholding of the hotel tax by other hoteliers
of Lancaster County, thus deliberately putting at risk the continuing
and the development of the center. Mr. Anthon already had his fair
access to the courts, and lost. And of course, costing the
Convention Center Authority valuable financial resources and time.
Mr. Anthon had defaulted on that complaint, and failed to respond to
the courts when serviced. I must now file a Notice of Default, but
first wanted to give Mr. Anthon the professional c

6:00 AM - 7:00 AM

Complaint number: I06010506177009Password: ludage -- FBI IFCC Complaint

On January 30 I had planned to visit Los Cabos, Mexico, for a


business trip. I had used the Internet to locate the airport (PTO)
for that destination to locate and book the necessary travel
accommodations. PVR (Puerto Vallarta, Mexico) appeared on several
Google searches as that airport. I accordingly booked flight
itinerary and tickets for that trip. On January 31 I booked a flight
from Houston Hobby airport to PVR (Continental Flight 1768, Seat
10D). I had some knowledge of the PTO system, having the national
register for PTOs when I had my plane operating, the Piper Navajo
Chieftain, in 1987. I had logged several flights, as far away as
Atlanta, and booked it for charter to several clients.
PVR was not, in fact, the airport for that destination. I had
consumed an estimated $2,000 in expenses for that trip, and never was
able to travel to Los Cabos as planned. I was denied a car rental
after landing in PVR without any lodging accommodations. I had to
Advanced Media Group

18

9/25/2006 10:03 AM

January 05, 2006 Continued


Thursday
spend 3 eve

8:00 AM - 8:30 AM

Judge Mary McLaughlin, J Order to Serve Notice

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE

v.
LANCASTER COUNTY PRISON, ET EL NO. 05-2288 ORDER
ACTION
---AND NOW, this 5th day of January, 2006 upon

CIVIL

-- consideration of the plaintiff's December 17, 2005


letter to the
Court requesting to amend the complaint and for a
hearing, whereas
the complaint was filed and summons were issued to the
pro se
plaintiff on May 16, 2005, and whereas the plaintiff
has not served
the summons and complaint within 120 days after filinig
the complaint
complaint, as required by rule 4(m) of the Federal
Rules of Civil
procedure, IT IS HEREBY ORDERED that the plaintiff
shall serve the
summons and complaint on or before January 25, 2006. If
the
plaintiff does not do so, the Court will dismiss the
complaint
without prejudice. The Court will consider the
plaintiff's request
to amend the complaint and for a hearing after the
summons and
complaint are served.
IT IS FURTHER ORDERED that the plaintiff's motion to
file the complaint under seal (Docket No. 2) is DENIED.
A document
in a civil action may be filed under seal only if the

action is
brought pursuant to a federal statute that prescribes
the sealing
of the record, or where good cause is established. See
Rule. 5.1.5 (a) (1) of the Local Rules of Civil
Procedure; Pansv v. Borough
Advanced Media Group

19

9/25/2006 10:03 AM

January 05, 2006 Continued


Thursday

of Stroudsburq, 23 F.3d 772, 786 (3d Cir. 1994). The


party seeking
confidentiality may establish good cause by showing
that disclosure
will work a "clearly defined and serious injury" to
that party;
"broad allegations of harm, unsubstantiated by
specific examples or
articulated reasoning," are insufficient. Id. Even
when judged by
the less stringent standards by which courts judge
pro se
pleadings, the plaintiff has not brought suit under
a statute that
requires the sealing of the record, or shown good
cause for doing so. The plaintiff alleges that
several threats have been made on
his life, but does not provide any facts to support
this
allegation, or explain how these alleged threats
relate to his
complaint.
BY THE COURT:
signed Judge Mary
McLaughlin, J.
2:00 PM - 3:00 PM

Complaint number: I06010506177009 -- To Harleysville

via fax, and usps

8:00 PM - 9:00 PM

Complaint number: I06010506177009 -- To Continental

FBI IFCC Complaint via letter

January 06, 2006


Friday
9:00 AM - 10:00 AM

Complaint number: I06010506177009 -- To Contiental

USPS

9:00 AM - 10:00 AM

Complaint number: I06010506177009 -- To Southwest

via USPS

January 07, 2006


Saturday
6:00 PM - 7:00 PM

Advanced Media Group

KIC

20

9/25/2006 10:03 AM

January 09, 2006


Monday
All Day

Judge Twardowski Order of Creditors -- Reading, Pa

610-320-5255 phone
Ext 248 Kathy, Twardowski Clerk
Ext 243 Twardowski
UNITED STATES BANKRUPTCY COURT
EASTERN DISTRICT OF PENNSYLVANIA
In Re: Stanley J. Caterhone
Debtor Case No: 05-23059-tmt
Chapter: 11

ORDER
AND NOW, this, 1/09/2006, it appearing that counsel may have attempted to add
creditors after a notice of the meeting of creditors was served upon all Listed
creditors. but failed to file a certificate of service of the debtor's amended
schedules or amended matrix as required the pvisions of Local Banlauptcy Rule
1009.1, it is hereby ORDERED that if such certifcation of service of amended matrix is
not filed within Twenty (20) days from the date of this Order. the case will be
closed without any such amendment, and the discharge andlor claims of exemption of
the debtor(s) may not be effective as to the added debtor( s ) upon whom notice was
not served.
Thomas M. TwardowsId
Judge

United States Bankmptcy Court

January 11, 2006


Wednesday
8:00 AM - 8:30 AM

Sheryl Itunes Release -- Apple Itunes

5:00 PM - 5:00 PM

Sent Dr. Newhart email

For five years I had a major groin injury that I was not
able to find anyone who could treat it. This included
regular medical MD's, Chiropractors, and even message
therapists. The paid was so sever, that on several
occasions I had to go to the Emergency Room for pain
medication. This summer, the pain literally left me
standing, unable to take another few steps.
Then I saw the article in the Lancaster Newspapers about
Laser Therapy and Dr. Newhart of the Leola Family Health
Clinic.
After the firs visit, the treatment lasted about 2
minutes, and all the Dr. did was place a red light, the
laser, over my groin; I did not seam to notice much
difference. I was already on a heavy dose of pain
medications from my Family physician. After my next 2
minute Laser treatment, I was able to move my leg with a
Advanced Media Group

21

9/25/2006 10:03 AM

January 11, 2006 Continued


Wednesday
range of motion I had not seen if five years. In a few
days I was able to run, after spending much of the last
six months in pain from just walking. All for under
$100.00, and your insurance may even cover that.
In addition, Dr. Newhart, showed me illustrations from a
major medical encyclopedia that accurately defined my
injury, and was able to prescribe in home therapy and
exercises to compliment his Laser therapy. Nothing any
regular MD was able to do, including my brother who has a
family practice in Austin, Texas, and was one of the team
physicians for the Texas Tech football team.
This is not a paid advertisement, just an accurate and
honest account of my experience, that I wanted to share
with those of you that may be interested in trying this
new technology.

Advanced Media Group


Stan Caterbone
amgroup01@msn.com
mailto:
www.amgglobalentertainmentgroup.com
Fax: (717) 427-1621
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
January 12, 2006
Thursday
All Day

Honda Inspection -- Jones Honda, Lancaster, PA

All Day

Received Judge Mary McLaughlin Serve Order of Jan 5 2005

January 13, 2006


Friday
All Day

Lancaster County Redevelopment Authority -- 150 North Queen Street,Suite 110,Lancaster,PA 17603

Meeting with Randy Patterson - Discussed Concerts, said Joe probably does not have any,
was not interested in getting involved, said not his reponsibility, Barnstormers manage facility
and their option. Said we keep going around in circles.
12:00 PM - 9:00 PM

Clipper SnowMagic Opening -- Clipper Stadium, Lancaster, PA

Play snowball! A new twist for stadium


Advanced Media Group

22

9/25/2006 10:03 AM

January 13, 2006 Continued


Friday
Snow-tubing highlights busy offseason.
By DAVID O'CONNOR, New Era Staff Writer
On Friday, it will have been more than 100 days since the last pitch was
thrown at Clipper Magazine Stadium, and more than 100 until the next one.
And the only game in town will be snow, not the summer one.
When they throw open the stadium gates for "Snow Magic Fun Park" on
Friday, the Lancaster Barnstormers' home baseball field will be transformed
into a snow-tubing winter wonderland.
But baseball will still be on the minds of the winter fun's organizers.
You may not recognize the ballpark, but it'll still be a chance to promote the
stadium and the Barnstormers, now preparing for their second season of
baseball in late April, team officials
said..............................................................................
"Any event we have here is potentially expanding our Barnstormer fan base,"
Joe Pinto, the team's general manager, said Tuesday.
And the daily winter snow fest, which starts Friday and runs daily through midMarch, will likely draw "folks who may not necessarily be baseball fans," he
said.
"Even though we have a lot going on at the ballpark, with Snow Magic and
other events, we know we can't forget about our core business, and that's the
baseball side of things.
"It's what we do the most, and it's originally what brought the stadium to
Lancaster -- so we know we can't forget about that," Pinto said.
So even with the daily snow tubing at the North Prince Street ballpark -which, despite temperatures into the 50s or even 60s this week, is being
transformed into a winter playland -- the summer game isn't far from the minds
of Pinto and others with the team.
The Barnstormers, who in late September ended a first season that was
successful beyond what most people could have imagined, are eyeing the first
game of 2006 on Friday, April 28.
They're also eyeing and preparing for things like another "Fan Fest," likely in
early April.
The unofficial kickoff to the season, it will be when individual game tickets go
on sale, would-be singers of the National Anthem at the 72 home games in
Advanced Media Group

23

9/25/2006 10:03 AM

January 13, 2006 Continued


Friday
2006 can try out, and "we'll get the baseball juices flowing again," as the
team's Andy Frankel aptly put it.
It will also be the first time the fest will be held at the North Prince Street
ballpark.
They're also preparing for a new summer of possible concerts, after last
year's Bob Dylan/Willie Nelson and Bryan Adams/Def Leppard shows also did
better than imagined.
"A lot of things are in the works," Pinto promised. "There are some other
potentially major announcements coming.
"We have our hands full, literally, with Snow Magic, and that will take us up to
within a month of the start of the season," he said.
A lot of the part-time employees you saw last summer at ballgames at the
6,000-seat stadium. serving ice cream, soda and beer will be back for "Snow
Magic," now selling hot chocolate and coffee.
The new snow park features snow-making equipment that is putting down a
blanket of snow on snow-tubing ramps that run from the top of the North
Prince Street stadium onto the playing field.
The event opens Friday afternoon at 3, and tickets are now available at the
park, by calling 509-4487 or by visiting www.lancasterbarnstormers.com.
The team also is busy with season tickets for 2006, and Pinto said the
numbers "are where we want to be" three-plus months before the season.
The team last year passed the 4,000 mark in season-ticket packages weeks
before the first game. The Barnstormers eventually drew 378,310 fans for
their 70 games, or an average of 5,404 a game, second-best in its Atlantic
League.
Pinto said things now are on pace with last year, and he said response to a
three-year season-ticket package, in which buyers get their names on their
seats, "has been overwhelming."
"It can be tough getting them back. But I think people are basing their
decision (to buy tickets) on whether or not they had a good experience here ...
we want to attract new people, and people who have been here express their
opinion by coming back.
"We believed in the Lancaster community, that they'd respond to something
like that," Lancaster's first pro baseball team in more than 40 years. And to
keep them coming back, "we realize that we can't just do the same things for
this year," he said.
Advanced Media Group

24

9/25/2006 10:03 AM

January 13, 2006 Continued


Friday
Added Frankel, the team's director of public affairs, "We want to keep people
thinking, 'What are they going to come up with, what promotion are they going
to do next, what's I.M. Fun (the team's high-energy between-inning emcee)
going to think of next?'
"THAT's how it will be successful," Frankel added. "Year Two will be different
in a lot of ways, and we think it will be even better than Year One."
As a sign of the Barnstormers' popularity, the team this week announced that
all 126 of its games in 2006 will be carried on WLPA-AM 1490, which last
year aired all or part of 55 games.
The Barnstormers also are planning two special 11:05 a.m. weekday games,
geared especially for kids, on Wednesday, Aug. 2, and Thursday, Sept. 14.
Clipper Magazine Stadium will be the scene of lots more than Barnstormer
baseball in the months to come, Pinto promised.
The 6,000-seat stadium also in 2006 is to host some Millersville University
baseball games, and the team is talking with everyone from the Lancaster
Lightning semipro football team to the baseball team at Franklin & Marshall
College, which is just up the road on Harrisburg Pike, about having their
games there.
Other events could include lacrosse games and band contests, and the
stadium suites expect to be busy with post-proms, corporate retreats and
similar functions.
There also have been successful "movie nights," with films shown on the
stadium video board.
When the "Snow Magic" fest starts Friday afternoon, it will be the only such
enterprise on the East Coast, and the only ones like it in the U.S. are in
Mobile, Ala., and Oklahoma, team officials have said.
The two slopes will be divided into "family" and "extreme" slopes, and you
have to be taller than 40 inches to try the family slope and 48 inches to go for
the extreme slope. All participants also must sign a waiver before heading
down the slope.
"No matter what age you are, everyone has a little kid in them," Pinto added.

10:00 PM - 10:30 PM

Judge McGlauglin Letter -- Philadelphia, PA

January 13, 2005


Advanced Media Group

25

9/25/2006 10:03 AM

January 13, 2006 Continued


Friday
Stanley J. Caterbone (pro se)
220 Stone Hill Road
Conestoga, PA 17516
United States District Court for the Eastern District of Pennsylvania
(010385574959684)
Honorable Judge Mary A. McLaughlin
Room # 13614
601 Market Street, Room 2609
Philadelphia, PA 19106-1748
Phone: (215) 597-7704
Fax: (215) 597-6390 600
Re: Case No. 05-2288
Honorable Judge Mary A. McLaughlin,
I have received your court order of January 5, and will proceed accordingly.
In addition, I would like to inform you of a recent complaint IFCC Complaint Referral
Report Complaint Number: I06010506177009.
Please see attached.

Respectfully,

Stanley J. Caterbone
Attachment:

IFCC Complaint No.

Cc:

file

Mr. Hugh Ward, Department of Justice, Office of Trustee


(0103855749668136070)
Honorable Judge Thomas M. Twardowski, United States Bankruptcy
Court, Eastern District of Pennsylvania (0103855749521335442)
January 14, 2006
Saturday
All Day

Received Twardowski Order of Jan 9

610-320-5255 phone
Ext 248 Kathy, Twardowski Clerk
Ext 243 Twardowski
Advanced Media Group

26

9/25/2006 10:03 AM

January 14, 2006 Continued


Saturday

UNITED STATES BANKRUPTCY COURT


EASTERN DISTRICT OF PENNSYLVANIA
In Re: Stanley J. Caterhone
Debtor Case No: 05-23059-tmt
Chapter: 11

ORDER
AND NOW, this, 1/09/2006, it appearing that counsel may have attempted to add
creditors after a notice of the meeting of creditors was served upon all Listed
creditors. but failed to file a certificate of service of the debtor's amended
schedules or amended matrix as required the pvisions of Local Banlauptcy Rule
1009.1, it is hereby ORDERED that if such certifcation of service of amended matrix is
not filed within Twenty (20) days from the date of this Order. the case will be
closed without any such amendment, and the discharge andlor claims of exemption of
the debtor(s) may not be effective as to the added debtor( s ) upon whom notice was
not served.
Thomas M. TwardowsId
Judge

United States Bankmptcy Court

January 15, 2006


Sunday
8:00 AM - 8:30 AM

List of Creditors

Creditors
AAA Financial Services
PO BOX 15287 (cr)
Wilmington, DE 19886-5287
Bank of America
PO BOX 53132 (cr)
Phoenix, AZ 85072-3132
Bank of America
PO BOX 1070 (cr)
Newark, NJ 07101-1070
Capital Blue Cross
PO BOX 778990 (cr)
Harrisburg, PA 17177-8990
Chase/Bank One
PO BOX 15153 (cr)
Wilmington, DE 19886-5153
CitiBank Credit Card
PO BOX 183063 (cr)
Columbus, OH 43218-3063
Advanced Media Group

27

9/25/2006 10:03 AM

January 15, 2006 Continued


Sunday
Comcast
PO BOX 3006 (cr)
Southeaster, PA 19398-3006
Discover
file:///A:/AMG%202005/Ipod%20Notes/List%20of%20Creditors%20Re...
2 of 3 12/10/2005 4:25 AM
PO BOX 15251 (cr)
Wilmington, DE 19886-5251
Donegal Mutual Insurance
PO BOX 300 (cr)
Marietta, PA 17547-0300
Fed-Ex
PO BOX 374161 (cr)
Pittsburg, PA 15250-7461
Fulton Mortgage Services
PO BOX 69 (cr)
East Petersburg, PA 17520-0069
Lancaster Regional Medical Center
PO BOX 3434 (cr)
11/21/2005 10:29 AM
Creditor Query https://ecf.paeb.uscourts.gov/cgi-bin/CreditorQry.pl?287191072121238...
Lancaster, PA 17604-3434
PayPal Buyer Credit PO BOX
960080 Orlando, FL 32896-0080 (cr)
Pennsylvania Power & Light Two
North Ninth Street Allentown, PA
18101
(cr)
Sprint PO BOX 1769 Newark, NJ
07101-1769 (cr)
Verizon PO BOX 28000 Lehigh
Valley, PA 18002-8000 (cr)
Wells Fargo Financial Services
1941 Fruitville Pike, Suite 14
Lancaster, PA 17601
(cr)
Yolando Caterbone 1250 Fremont
Street Lancaster, PA 17603
(cr)
file:///A:/AMG%202005/Ipod%20Notes/List%20of%20Creditors%20Re...
3 of 3 12/10/2005 4:25 AM
PACER Service Center
Transaction Receipt
11/21/2005 10:21:58
PACER
Login: am3189 Client
Code:
Description: Creditor
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January 15, 2006 Continued


Sunday
05-23059-tmt
Creditor Type: cr
Billable
Pages: 1 Cost: 0.08
2 of 2 11/21/2005 10:29 AM

January 16, 2006


Monday
8:00 AM - 8:30 AM

Sara Rusdiah <afterglow_1810@yahoo.co.uk> -- London, UK

Sara Rusdiah <afterglow_1810@yahoo.co.uk>


Sent : Monday, January 16, 2006 9:28 AM
To :
Stan Caterbone <amgroup01@msn.com>
Subject :
I know it's been a long time...
since we last e-mailed each other, and you may have forgotten me. My username is
RokrPrincess in Sheryl's fan forum, in case you've forgotten. I'm just wondering, what's your
username (in Sheryl's fan forum), if I may ask?
Best regards,
Sara

7:00 PM - 8:00 PM

Martina Hershey Giant Theatre

January 17, 2006


Tuesday
8:00 AM - 8:30 AM

FBI Field Office -- Philadelphia, PA

Called about computer hacking and intruders

January 18, 2006


Wednesday
All Day

Sheryl & Lance Visit South Africa Unite 4 Health -- Johannesburg, South Africa

Lance Armstrong will be in South Africa this week for a day-long visit. Clinton van der Berg
spoke to the cycling great ahead of his whirlwind tour
LANCE Armstrong arrives in South Africa on Wednesday morning in his private jet. With
rock-star girlfriend Sheryl Crow in tow hell be whisked off to a press conference, followed by
a visit to Soweto. Later theres the possibility of a game-reserve visit and then a charity
banquet in Johannesburg in the evening.
That same night, hell step back on the plane, headed for home in Texas. Hell barely have
time to take a breath. Such are the obligations of superstardom.
Armstrong will be here promoting Unite 4 Health, a social investment campaign initiated by
Adcock- Ingram. As a cancer survivor, its an issue thats close to his heart (his is one third
larger than the average males, incidentally).
Speaking from his ranch in Austin, Armstrong said he had never travelled to Africa because
of the distance, but a gap in his calendar and the opportunity to promote a new healthcare
programme excited him.
His message on Wednesday will focus on healthcare challenges.
The things I can talk about are the things I have lived. It would be irresponsible of me to
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Wednesday
show up and talk about things I dont know about. For example, when I was sick I took it upon
myself to really learn about it, to study it and know this thing as an enemy ... When youre in a
fight like that the best thing you can do is learn your enemy, he says.
We know the demons out there: lack of exercise, smoking, drinking, a stagnant lifestyle. That
stuff is deadly. The more we can encourage people to be active, the better. Sometimes life
throws you these curved balls, whether its cancer, whether its HIV or something else. We
have to be prepared for that.
The two words mentioned most about Armstrong are that he is brash and cocky, but the
impression on a long-distance call is different. For a man who has endured his share of media
hell, he is surprisingly engaging. Anything but brash.
I heard those things a lot when I was 15, 16, he says. I was doing pro sports all around the
world and thats the one thing I heard all the time, about this cocky kid from Texas whos
racing pro.
I think the illness mellowed me a bit. I continued to be confident and straightforward but to be
a person who would taunt someone else, that wouldnt have been my style.
Armstrong enjoys a remarkable public profile after seven wins in the epic Tour de France,
and its a profile elevated by his engagement to Crow last September.
He says its difficult living in the public gaze.
When you enter into a relationship with another public figure it makes it not twice as hard,
but 10 times as hard. Thats difficult but as an individual you have to stay true to yourself and
as a couple you have to stay true to yourselves. You must really try to block out all of that
stuff.
Crow often cycles with him. He sheepishly admits that he sometimes sings with her. Of all her
songs, he likes best one off her latest album.
Its called Letter to God, which probably wont be a hit because its not that type of song. I
think its one of her best songs ever.
The pair havent set a wedding date, but it will be soon, some time in late spring.
Theres no question that Armstrong occupies a zone different from other cyclists. His
recovery from testicular cancer, which spread to his lungs and brain, placed him in a unique
position. His utter dominance of the competition amplified that position.
He credits his illness for making him so demonstrably better than his fellow cyclists.
It clearly changed me as a person, as an athlete and as a citizen. This illness came along
and for lack of a better word it scared the hell out of me. It reminded me that this is the one
and only chance I get and its my responsibility to make the most of it either on the bike or off
the bike.
Armstrongs pain threshold is legendary, but he says he suffers just as much as his opponents
do. He just hides it well.
He explains: While you watch on TV, the coaches that are in the cars are also watching on
TV. Its better they see a neutral, pain-free face on me because what they see on TV they
relay to their riders on their radios.
I dont want to show any emotion, whether Im feeling great or terrible. I just want to keep it
blank, keep them guessing. At the same time thats been probably one of the worst things I
could do ... A cynic would say, Look, this guys suffering his brains out and Armstrong doesnt
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Wednesday
even have his mouth open.
He isnt the machine he is often portrayed as. Hes even been prone to panic. Oh yeah. Not a
dozen times, but theres been three or four serious panics. You can be robotic as much as
you want, but when you do crack, then it is serious crisis mode because youre not ready for
that, nor is anybody on your team, nor are your competitors.
He says a typical days training depends greatly on the time of year and the conditions.
Typically it would be five to six hours a day on the bike, a mix of hills and flats. If we have a
great day in the springtime in Europe you can go out and do whatever you want. There are a
lot of days when its raining and its not conducive to a five- to six-hour ride.
One day stands out from thousands in the saddle. It was at LAlpe dHuez, a gruelling
mountain stage, in 2001.
[That was the best] from a performance standpoint. Even personally, that was my funnest
day. I dont want to brag about it, but we did this bluff thing where they thought I was hurting
and they thought they were really going to stick it to us. In the end we took it to them and
attacked on the final climb.
It was the most rewarding day for me. Also, from a performance standpoint it was two
minutes faster than the second-placed finisher at the top.
Naturally, there are slurs and accusations against Armstrong, the gist of which is that he
relied on drugs, specifically EPO, the red blood cell booster, to crush the opposition.
Last year the French sports daily LEquipe reported that six urine samples Armstrong
provided during his first Tour win in 1999 tested positive, a charge he angrily denies.
Hes learnt to live with the heat.
Youd think [it would go away] when you retire, he says with an air of resignation. Not that
you ever get used to it but I have to say you get quite used to it. Its been going on like this for
seven years, even longer.
The stories and the rumours started pretty much from the day I was diagnosed. I have
become thick-skinned and learnt to deal with it. Now Ill move on and hopefully lead a quieter,
more peaceful life. Lets put it this way I dont lose a lot of sleep over it.
A host of South African sports stars name Armstrong as their hero, so it was apt to ask him
about his heroes.
If I had to pick one, Id say Andre Agassi. Hes been around a long time. His skills are
obviously not what they used to be, but hes making up for that with hard work. He just
continues to plug away. Hes always been a hero of mine.
Armstrong enjoys American football but his favourite sport to watch and play is tennis. He
enjoys the occasional knockabout with Agassi.
I tend to be a fan of tennis players. I see them as hard-working, true athletes, he says.
The cycling may be winding down, but the pace isnt. Armstrong has just shot a movie, You,
Me and Dupree, with Owen Wilson, Michael Douglas and Kate Hudson. Just like his spot in
the movie Dodgeball, Armstrong plays himself.
Hes now in discussions about a movie on his life.
Matt Damon is favoured for the lead role with Sarah Jessica Parker playing the part of Crow.
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January 18, 2006 Continued


Wednesday
Matts somebody Ive known for a few years and is willing to play the part, says Armstrong.
He can dig into it on the athletic side and the illness side, but hell also look and ride and feel
like a professional cyclist.
Politics interests Armstrong to a degree he is an adviser to President George W Bush,
sitting on his Cancer Panel
The world interests me only since I think its fascinating and very competitive. But I think Im
more suited only in the sense that I go right down the middle and interact and work with both
sides. When you are in any kind of fight, especially a healthcare fight or a cancer fight, you
lose half of your allies. Id rather be totally neutral to increase funding for cancer.
Aged 34 and with his peak years tapering off, Armstrong is well placed to reflect on his stellar
career and dramatic recovery from illness.
Asked if he would change anything if he could, he says probably not not even the cancer
that almost killed him.
That was a really good thing for me I wouldnt want to do it again, but it was a good thing.
I tend to be a person that just looks at the day were in and the days going forward. Of course
we all make mistakes and we learn from them and we change our ways over the years. But I
cant look at anything that was monumentally wrong and say Ill regret it the rest of my life.
In cycling I wish I would have been able to do more races. I raced predominantly in Europe. I
never raced in Australia, in Africa or in Asia. For a lot of reasons I got stuck in this mould of
racing for just one race and neglected all the other parts of the world.
Might he one day ride in SA, perhaps the 94.7 Challenge or the Cape Argus?
He says its a possibility.
Sure, this is my first time down there. The obvious thing is coming down for a safari but Ive
never done it. Ive been so occupied with cycling but now I kind of have a clean slate. I would
love to get there more often. Its just a helluva long way from here.
Armstrong lives for the little bit of downtime he can manage. He owns a ranch outside Austin.
Its called Milagro, Spanish for miracle. He says it looks exactly like Africa.
I love to stay out there, play out there. I have my kids. They have all their toys, motorcycles,
four-wheelers, kayaks. Its completely quiet with a 40-mile view and the most amazing
sunsets. If I can have my lady and my kids running around and a cold beer and a killer
sunset, then thats been a great day.

9:00 AM - 10:00 AM

PA Housing Finance Hearing -- 211 North Front St, Harrisburg,PA 17105

780-3937
780-4031fax

11:30 PM - 12:00 AM

Notice of Service To Fed Civil Actions -- Harisburg Pike Post Office

Mailed all complaints and Judge Mclaughlin's Notice of Service Package, with the exception
of Southern Regional Police Department

Advanced Media Group

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9/25/2006 10:03 AM

January 19, 2006


Thursday
10:00 AM - 10:30 AM

Joe Pinto Village Clair Bros Email -- AMG


StanThanks for your help on this!!
Joe
-----Original Message----From: Advanced Media Group [mailto:amgroup01@msn.com]
Sent: Thursday, January 19, 2006 10:35 AM
To: joe.pinto@lancasterbarnstormers.com
Subject: Concerts
Joe,
I had a nice conversation with Gene Clair's son, who now runs Clair Bros,
Monday night at the Martina Mcbride concert in Hershey about you and the
Clipper.
It was a great show, and if you can, you should catch her show.
Anyway, I explained to him your problem, and he said he would do what he can
to help get some acts there.
Attached is what Clair Brothers used to do in the old days down at the
Village. The owner of the Village gave this list to me last nite( I have
been trying to get a list for quite awhile), and we said we are going to try
and double that list.
Good Luck with booking some great shows for 2006
Stan.

NATIONAL ACTS THAT HAVE APPEARED AT THE VILLAGE


TESLA
JACKYL
FOGHAT
.38 SPECIAL
Dl0
KIX
TOMMY CONWELL
BLUE OYSTER CULT
BRllTNY FOX
DAVE MASON
THE OUTLAWS
WARREN ZEVON
RICK DERRINGER
MARSHALL TUCKER BAND
ARLO GUTHRIE
HEAVEN'S EDGE
FUEL
QUIET RIOT
AVERAGE WHITE BAND
A FLOCK OF SEAGULLS
THE MAGNIFICENT MEN
AL STEWART
NAZARETH
MARK FARNER OF GRAND FUNK
MlTCH RYDER
THE ROMANTICS
RICHARD THOMPSON
THE HOOTERS
THE GUESS WHO
JOHN KAY & STEPPENWOLF
NEW RIDERS OF THE PURPLE SAGE
ROBERT HAZARD
DAVID BROMBERG
TITO PUENTE
THE VILLAGE PEOPLE
THE TRAMPS
THE CLASSICS IV
THE BROOKLYN BRIDGE
THE DUPREES
surprise performances by
BRUCE SPRINGSTEEN
CYNDl LAUPER
GREG ALLMAN

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9/25/2006 10:03 AM

January 19, 2006 Continued


Thursday
1:00 PM - 1:30 PM

Osama Bin Ladin Tape -- Pakistan

BY HASSAN M. FATTAH, New York Times


DUBAI, United Arab Emirates -- Breaking more than a year's silence, Osama bin Laden warned
Americans in an audiotape released Thursday that al-Qaida was planning more attacks on the United
States, but he offered a "long truce" on undefined terms.
It was unclear when the recording, broadcast by the Arab satellite television station Al-Jazeera, was
made, but the CIA verified its authenticity and said the station was probably right in saying it dated
from early December.
American officials said the release might have been timed to assure his followers bin Laden was alive
and well days after an American bombing of a house in a Pakistani village where senior Qaida
officials were said to have been killed.
In the tape, bin Laden addressed the American people directly, saying of his supporters, "Our situation
is getting better while yours is getting worse."
"My message to you is about the wars in Iraq and Afghanistan and how to end them," he began. "Bush
said, 'It is better to fight them on their land than their fighting us on our land.' I can reply to these
errors by saying that war in Iraq is raging with no letup, and operations in Afghanistan are escalating
in our favor."
He said the lack of Qaida attacks within the United States since Sept. 11 was not related to improved
security, and he pointed to terrorist attacks in Europe as evidence his fighters could penetrate all such
barriers.
As to what attacks Americans can expect, he said, "The operations are under preparation, and you will
see them in your homes the minute they are through, with God's permission."
Vice President Dick Cheney, asked by Fox News about the tape, said it now seemed likely that bin
Laden, whom some had believed dead, was alive. But, the vice president said, bin Laden has clearly
had trouble getting his message out and added, "We don't negotiate with terrorists."
"I think you have to destroy them," he said. "It's the only way to deal with them."
Bin Laden offered the American people a vague truce, saying "both sides can enjoy security and
stability under this truce so we can build Iraq and Afghanistan." Later in the statement he quotes from
a book which calls for an end to what he termed "American interference in the nations of the world."
The statement noted that American opinion polls had shown the nation's desire to withdraw its troops
from Iraq and its feeling that "it is better that we (Americans) don't fight Muslims on their lands and
that they don't fight us on ours."
Regarding an American withdrawal, he said, "There is no shame in this solution, which prevents the
wasting of billions of dollars that have gone to those with influence and merchants of war in America
who have supported Bush's election campaign. ..."
Nearly all of the video and audiotapes attributed to bin Laden in the past have turned out to be
authentic. His voice, this time, sounded somewhat more labored, lacking the energetic quality typical
of earlier recordings. There was also a pronounced echo as if he had been inside a room, in contrast to
previous recordings that seemed to have been made outdoors or in large spaces.
Like some of his other recordings, this one made reference to recent events, including in this case a
report in a British newspaper in November that President Bush wanted to bomb the headquarters of
Al-Jazeera in Qatar, a claim dismissed by both the American and British governments.
The bin Laden broadcast comes just days after the United States launched airstrikes on a Pakistani
village aimed at bin Laden's second in command, Ayman al-Zawahri. Al-Zawahri was not at the site,
but two senior members of al-Qaida and the son-in-law of al-Zawahri were among those killed in the
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Thursday
strikes in remote northeastern Pakistan, Pakistani officials said.
The attacks caused anger across Pakistan, particularly in the autonomous tribal regions, and led the
government to condemn the intrusion.
Some analysts saw the message as a triumph for the leader of al-Qaida. "The fact that he was able to
record the message, deliver it and broadcast is in itself victory for him," said Muhammad Salah, Cairo,
Egypt, bureau chief for the pan-Arab daily Al Hayat and an expert on Islamist groups.
Bin Laden typically chooses his timing and messages carefully to prove a point, Salah said. "He is
playing on the American people's desire to get out of Iraq and the Islamic fundamentalist swamp. And
he is telling Bush that I am winning and I am still there."
White House spokesman Scott McClellan told reporters Bush had been told about the tape on
Thursday morning after an appearance in Virginia. McClellan said American intelligence agencies
were trying to determine whether the tape provided clues about al-Qaida's operations.
"If there is any actionable intelligence, we will act on it," McClellan said.
"We are winning," he said. "Clearly al-Qaida and the terrorists are on the run, and that is why it is
important that we do not let up, and do not stop, until the job is done."
McClellan added: "We continue to act on all fronts to win the war on terrorism, and we will. The
president is fully committed to do everything within his power to prevent attacks and to defeat the
terrorists. We are taking the fight to the enemy, we are working to advance freedom and democracy, to
defeat their evil ideology."
Bin Laden's message said his followers were not afraid of further American attacks because "a
swimmer in the ocean does not fear the rain," but vowed the same treatment for Americans as they
have given others.
"This says the man is still very much in action," said Riad Kahwaji, founder of the Institute for Near
East and Gulf Military Analysis, a security research firm in Dubai. "He's saying the war is still on, and
he's talking about ongoing plans for operations and strikes elsewhere. He's also mentioning recent
events to give authenticity to the recording that it is recent, and he is keeping up to date with
developments."
Bin Laden was last heard from in an audio recording in December 2004, in which he called for Iraqis
to boycott the elections in January 2005. That broadcast prompted Bush to take the unusual step of
responding to the message, declaring that the call by bin Laden made the stakes in the Iraqi elections
clear.
U.S. response
No plan to raise terror alert level
3:00 PM - 3:30 PM

K.L. Shirk dies at age 83 -- lancaster, PA

SUMMARY: This letter is the reply of the Lancaster Bar


Association as to the question of ethics if the law firm of
Shirk, Reist, Wagenseller and Shirk would formally
associate with FMG, Ltd.,. Kenelm L. Shirk, Jr., was business
associate of Stan Caterbone's whom he often would confide
business matters especially the start up of FMG, Ltd.,
.L. Shirk Jr., an influential force in the Lancaster County Republican Party for decades, died
in his home Thursday at age 83.
"He was a class act," said George Alspach of Lancaster, whose father worked with Shirk
inside the county GOP during the 1960s and '70s.
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Thursday
Shirk -- whose first name was Kenelm -- served as county GOP chairman from 1964 to 1971
and was a father figure and mentor to Lancaster Republicans for the rest of his life.
"He would always call me 'Mr. Chairman,' and we would exchange that title," current county
Republican Committee Chairman Dave Dumeyer said. "Whenever he had an issue he
thought was a concern to the party, he never hesitated to pick up the phone and call me."
Several veteran Republicans Thursday credited Shirk with creating the current structure of
the county GOP.
Dick Filling, a former City Councilman and GOP committeeman when Shirk was chairman,
said Shirk helped reform the party from one controlled by a single political boss to a broader
network of area committee chairpeople.
"He was more interested in getting the party a broader base, and he was always looking
toward the future," Filling said.
Aside from Republican politics, Shirk was a World War II veteran and a partner at Shirk Reist
Wagenseller & Mecum law firm, 132 E. Chestnut St.
He is survived by his wife of 60 years, Romaine Sensenig Shirk; sons Kenelm L. Shirk III of
Ephrata and Kraig L. Shirk of Strasburg; and daughter Kathy R.S. Shirk Conick of Lancaster.
Dumeyer said Shirk would take "under his wing" anyone who was elected party chairman.
One of those who received counsel from Shirk was Jim Bednar, county Republican
Committee chairman from 1994 until 1998.
Bednar said that at least once a year he would gather former county GOP chairmen together
for a conference, and Shirk was a leader among them.
"We could always go to him," Bednar said. "He was a great resource for me. I went to him
very often."
GOP Committeeman Ted Darcus called Shirk a "mentor."
"When he gave you good advice, you took it to heart and you knew you would be successful,"
Darcus said.
Shirk also maintained friendships with Democrats, including Lancaster city Mayor Rick Gray.
Gray said Thursday he last saw Shirk at a banquet before New Year's Day.
"He was jabbing me about being a Democrat and (said) I better do a good job and that he
would keep a good eye on me," Gray said. "We had a mutual admiration for each other."
Gray and state Sen. Noah Wenger, a Stevens Republican, said Shirk was a community
leader and attorney who would work for the downtrodden and poor.
"He was always interested in people's rights, civil rights for people regardless of their
background or their race," Wenger said. "He believed in equality; he was early in promoting
equal opportunities for everybody."
Shirk was a 1940 graduate of McCaskey High School and earned a bachelor's degree from
Washington & Lee University in Virginia. He later earned a law degree from Dickinson School
of Law in Carlisle.
From 1943 to 1946, Shirk served in the U.S. Army Air Corps as a navigator. During the
Korean War he was a trial judge advocate and navigator based in Middletown.
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January 19, 2006 Continued


Thursday
Shirk was past president of Lancaster Bar Association, director of Boys Club of Lancaster and
a member of Union Fire Company No. 1 in Lancaster.
Filling said one of the first things he will miss about Shirk will be the yearly telephone calls on
Filling's birthday.
Filling turns 74 next week.
"Ken was a very straightforward person, a very honest person, a devout Christian man," he
said. "His word was his bond."
Shirk first encouraged Filling to run for City Council in the 1960s, Filling said.
"He had discipline in the party," Filling said. "When Ken said something, you kind of listened
to him.
"Not kind of listened to him -- you did listen to him."
Funeral services have not been announced.
Dave Pidgeon's e-mail address is dpidgeon@lnpnews.com.

January 20, 2006


Friday
2:00 PM - 2:30 PM

Twardowski Response to Order of Jan 9 -- USPS Priority Mail


Delivery Confirmation Label Number: 0103 8555 7495 2644 2732

January 20, 2006


Stan J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Honorable Judge Thomas M. Twardowski,
United States Bankruptcy Court, Eastern District of Pennsylvania
400 Washington Street
Reading, PA 19601
Re:

Case No. 05-23059

As per the following Order:


AND NOW,this day of 1/9/06, it appearing that counsel may have attempted to add creditors
after a notice of the meeting was served upon listed creditors, but failed to file a certificate of
service of the debtor's amended schedules or amended matrix as required the provisions of
Local Bankruptcy Rule 1009.1,
it is hereby ORDERED that if such certification of service of amended matrix as required the
provisions of Local Bankruptcy Rule 1009 is not filed within Twenty (20) days from the date of
this Order, the case will be closed without any such amendment, and the discharge and/or
claims of exemption of the debtor(s) may not be effective as to the added d t o r ( s ) upon whom
notice was not served.
Please be advised that on December 15, 2006, after my 341a meeting, I filed a amended Schedules D
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January 20, 2006 Continued


Friday
and G, and the Addendum to Add Creditors and served the following creditors via US prepaid regular
mail. See attached receipt for the $26.00 filing fee for the aforementioned filings. Also attached is the
Certificate of Service that was sent to the listed creditors that were added to the Schedules, as per the
instructions of Mr. Ward, of the Trustees Office of the Department of Justice, and per the Clerk of
Courts on that day.
I am confused as to what creditors you are implying that were omitted from this list.
I have called Kathy, the Clerk assigned to my case, on January 16th, 2006, and left a detailed message
that I needed to know what creditors you were referring to in your order, and what are the deficiencies,
along with my return phone number.
As of this date, I have yet to receive a return call pertaining to the same.
Would the Courts please advise me as to what this Order is refereeing to, and exactly how am I
delinquent in filing the required schedules, or what creditors the Courts are referring to?
I would obtain a copy of the amendments on the Pacer online system, however, my computer is
constantly being corrupted and intruders have made it impossible to log on to the system. I have
recently filed complaints with the IFCC of the FBI, and also called the Philadelphia Office of the FBI
on January 17th, 2006, as well as the Southern Regional Police Department, reporting the same
problems with my computer and online connections that have prevented me from accessing key
Internet sites that are Germaine to my business activities.
If it would satisfy the courts, these records of my complaints are available for your review.
Please advise.

Respectfully,
Stanley J. Caterbone
Pro Se for Stanley J. Caterbone, Debtor

Cc:

3:00 PM - 3:30 PM

United States District Court for the Eastern District of Pennsylvania


Honorable Judge Mary A. McLaughlin

Filed Drew Anthon Default Notice -- Lancaster County Courthouse

Filed Drew Anthon Default Notice and it was stamped in the prothonatarys office at 3:00pm
by Audrey Conners
4:00 PM - 4:30 PM

Served Drew Anthon Default Notice -- Eden Resort, Lancaster, PA

Served Defualt Notice to Diane McMahon, the Secretary in the Marketing Office of the Eden
Resort Inn. She said Drew was out of the office, so she gave the notice to Drew's Secretary
while I was there. I went to have 1 drink at the Lounge Bar at the Eden on my way out.
560-8440.
9:00 PM - 9:30 PM

Meeting with Joe Pinto & Slide at Sno Magic -- Clipper Stadium

Email to Joe on Saturday, January 21, 2006 7:50 am


Thanks for the ride last nite. I thought that was fun and think the SnowMagic Park will be a
BIG Hit. After I left I stopped by at the Alley Cat for a drink, and floated your idea of the Ice
Skating rink with maybe some music and a few firepits to some people, and they loved your
idea.
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Friday
Last Spring I stopped by the DA's office to tell Heidi Ecklin that we should bring back the old
ice skating rink at Buchanan Park. We really had a blast back then with that, and the kids
loved it there. We always had good music on the PA system, and we used to have a fire
burning in an old trash can to keep warm. I used to run it for the Lancaster Rec Commission.
I also talked about your idea of some bands at the Clipper during Happy Hour in the Spring,
and they loved it.
Here is the Record Company, locasted in the Manor Shopping Center that I hear is booking a
lot of great local musicians:
http://www.cirecords.com/cirecords/
Anything I can do to help let me know. I'll definately be by for some more fun.

January 21, 2006


Saturday
12:00 PM - 12:00 PM

Yarnell Security Sys Letter

YARNELL SECURITY SYSTEMS


131 ELMWOOD RD . LANCASTER PA 17602.717-399-3900
January 20,2006
Stan J. Caterbone
220 Stone HillRoad
Conestoga, PA 175 18
Dear Mr. Caterbone,
We recently received a letter in reference to a bmkmptcy case in your
regard.
From this we are assuming that you are not intending to pay off your
balance due and do not want your system to be monitored. We will need to deactivate the
system so that it cannot send us any alarms or troubles to our Central Station.
If we do not hear from you otherwise by February 1,2006 we will deactivate your
system and monitoring will cease.
Sincerely,
RoonaldR . Y ell
General Manager

January 23, 2006


Monday
All Day

Sheryl left kennett

Turns to a bitchy nagging wife.


12:00 PM - 12:00 PM

US Dept of Justice Hugh Ward letter

U.S. Department of Justice


Office of the United States Trustee
Eastern District of Pennsylvania
833 Chestnut Street(215) 597-4411
Suite 500 fax (215) 597-5795
Philadelphia, Pennsylvania 19107
Advanced Media Group

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9/25/2006 10:03 AM

January 23, 2006 Continued


Monday
January 20,2006
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 19516
Re: Stanley J. Caterbone
Bankruptcy Case No. 05-23059 TMT
Dear Mr. Caterbone:
Please file with Court and the U. S. Trustee, the operating reports for each of the months
of May 23,2005 through December 2005. You must continue to file operating reports during
the
pendency of this case under Chapter 1 1 of the Bankruptcy Code.
If you have any questions, please contact me.
Very truly yours,
bankruptcy Analyst
cc: Dave P. Adams, Trial Attorney
Linda P. Logan, Regional Bankruptcy Analyst

3:00 PM - 3:30 PM

Drew Anthon Appearance Notice -- Lancaster County Courthouse

IN THE COURT OF COMMON PLEAS OF LANCASTER COUNTY, PENNSYLVANIA


CIVLL ACTION - LAW
PROJECT HOPE/ADVANCED
MEDIA GROUP
220 Stone Hill Road
Conestoga, PA 175 16
v. No. CI-0543644
DREW ANTHON,
EDEN RESORT INN AND
CONFERENCE
222 Eden Road
Lancaster, PA 17601
PRAECIPE FOR ENTRY OF APPEARANCE
TO THE PROTHONOTARY:
Please enter the appearance of Richard Solove, Esquire, McNees Wallace & Nurick, LLC
as counsel on behalf of Defendants, Drew Anthon and Eden Resort and Conference, in the
above-captioned action.
Anomey I.D. #I7717
Attorney for Defendants
MCNEES WALLACE & NURICK, LLC
180 Good Drive
Lancaster, PA 17603
(717) 291-1177
Date: jan 23, 2006
IN THE COURT OF COMMON PLEAS OF LANCASTER COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
PROJECT HOPEJADVANCED
MEDIA GROUP
220 Stone Hill Road,
Advanced Media Group

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9/25/2006 10:03 AM

January 23, 2006 Continued


Monday
Conestoga, PA 17516
V. No. CI-05-03644
DREW ANTHON, EDEN RESORT INN :
AND CONFERENCE
222 Eden Road
Lancaster, PA 17601
CERTIFICATE OF SERVICE
I hereby certify that I have this day served a true and correct copy of the foregoing
document upon the following persons and in the following manner, which service satisfies
the requirements of the Pennsylvania Rules of Civil Procedure.
SERVICE BY FIRST CLASS MAIL:
Stanley Caterbone
Project HopeJAdvanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
Attorney LD. #17717
Attorney for Defendant
MCNEES WALLACE & NURICK, LLC
180 Good Drive
Lancaster, PA 17603
(717) 291-1177

January 24, 2006


Tuesday
8:00 AM - 8:00 AM

DREW ANTHON, EDEN RESORT INN Motion

Richard S. Solove, Esquire


McNEES WALLACE & NURICK LLC
180 Good Drive
Lancaster, PA 17603
(717) 291-1177
Attorney I.D. #I7717
Attorney for Defendants
IN THE COURT OF COMMON PLEAS OF LANCASTER COUNTY, PENNSYLVANIA
CIVIL ACTION
PROJECT HOPE/ADVANCED
MEDIA GROUP
220 Stone Hill Road
Conestoga, PA 1751 6
Plaintiff
Civil Action Law
DREW ANTHON, EDEN RESORT INN j
AND CONFERENCE
222 Eden Road
Lancaster, PA 17601
Case No.CI-05-03644
PRELIMINARY OBJECTIONS OF DEFENDANTS
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January 24, 2006 Continued


Tuesday
Defendants, by and through their attorney, Richard S. Solove, hereby files
Preliminary Objections to the Complaint on the following grounds:
1. Plaintiff's complaint fails to allege facts sufficient to establish a cause of action.
2. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1018 (b), in that the Complaint is not properly captioned.
NO. 05-03644
3. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1018.1, in that the Complaint does not contain a Notice to
Defend.
4. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1019 (a), in that the material facts were not stated in a concise
and summary form.
5. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1021, in that the Complaint does not specify the relief sought,
and does not state whether the amount claimed does or does not exceed the
jurisdictional amount requiring arbitration or referral by local rule.
6. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1024, in that the Complaint is not verified.
7. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1022, in that the Plaintiff's Complaint is not divided into
consecutively numbered paragraphs.
WHEREFORE, Defendants respectfully request that Plaintiff's Complaint be dismissed.
Respectfully submitted,
WNees Wallace & Nurick LLC
RICHARD S. SOLOYE
Attorney I/D No. 1771 7
180 Good Drive
Lancaster, Pennsylvania 17603
(71 7) 291 -1 177
Attorneys for Defendants
CERTIFICATE OF SERVICE
I hereby certify that I am this day serving a copy of the foregoing docurnent(s)
upon the person(s) and in the manner indicated below:
SERVICE BY FIRST CLASS MAIL ADDRESSED AS FOLLOWS:
Stanley Caterbone
Project Hopel Advanced Media Group
220 Stone Hill Road
Conestoga, PA 1751 6
S. SOLOVE
Attorney I/D No. 17717
Attorney for Defendants
Dated: 1/23/2006

8:00 AM - 8:00 AM

Fulton Bank for Relief from the Automatic Stay

Barley Snyder, LLC, Attorneys at Law


126 East King Street
Lancaster, PA 17602-2893
Te1 717.299.5201 Fax 717.291.4660
www.barley.com
Diane E. Ennis, Paralegal
Direct Dial Number: 717.399.2165
E-mail: dennis@barley.com
Advanced Media Group

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9/25/2006 10:03 AM

January 24, 2006 Continued


Tuesday
January 24,2006
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 195 16
Re: Stanley J. Caterbone
Chapter 11 Case No. 05-23059-TMT
Dear Mr. Caterbone:
Enclosed please find the Motion of Fulton Bank for Relief from the Automatic Stay of
Section 362 of the Bankruptcy Code, together with the Notice of Motion, Response Deadline and
Hearing Date, Proposed Order and Certification of Service and Notice being filed in Bankruptcy
Court.
Diane E. Ennis
Paralegal
dee: 1547581-1 .DOC
Enclosures
cc: Ofice of the U.S. Trustee
Robert W. St. Clair- Fulton Bank
Lancaster . York Harrisburg. Reading B e r w . Hanover . Chambersburg

Local Bankruptcy Form 9014-3


UNITED STATES BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
IN RE:
Chapter 11
Stanley 3. Caterbone,
NO. 05-23059-TMT
Debtor
NOTICE OF MOTION. RESPONSE DEADLINE
AND HEARING DATE
Fulton Bank has filed a Motion for Relief from Automatic Stay Pursuant to 11 U.S.C.
Section 362 and Bankruptcy Rule 9014 in order to exercise its state law rights and remedies as
concerns its mortgage lien against Debtor's premises located at 220 Stone Hill Road, Conestoga.
Lancaster County, Pennsylvania.
Your rights mav be affected. You should read these papers carefully and discuss
them with your attorney, if you have one in this bankruptcy case. (If you do not have an
attorney, you may wish to consult an attorney.)
1. If you do not want the court to grant the relief sought in the motion or if you want the
court to consider your views on the motion, then on or before February 8, 2006 you or your
attorney must do & of the following:
(a) File an answer explaining your position at
The Madison Building
400 Washington Street, 3" Floor
Reading, PA 19601
If you mail your answer to the bankruptcy clerk's office for filing, you must mail; it early
enough so that it will be received on or before the date stated above; and
(b) mail a copy to the movant's attorney:
Shawn M. Long, Esquire
Barley Snydcr, LLC
126 East King Street
Lancaster, PA 17602
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9/25/2006 10:03 AM

January 24, 2006 Continued


Tuesday
Lancaster, PA 17602
Telephone: (717) 399-1512
Facsimile: (717) 291-4660
2. If you or your attorney do not take the steps described in paragraphs l(a) and l(b)
above and attend the hearing, the court may enter an order granting the relief requested in the
motion.
3. A hearing on the motion is scheduled to be held before the Honorable Thomas M.
Twardowski

on February 21, 2006, at 9;30 a.m. in Courtroom 1, United States Bankruptcy


Court, 400 Washington Street, Reading, PA 19603.
4. If a copy of the motion is not enclosed, a copy of the motion will be provided to
you if you request a copy rom the attorney named in paragraph 10).
5. You may contact the Bankruptcy Clerk's office at 610-320-5255 to find out
whether the hearing has been canceled because no one filed an answer.
Date: January 24,2006

January 25, 2006


Wednesday
All Day

Due Judge McLaughlin Order Due Date -- Philadelphia,Pa

January 26, 2006


Thursday
6:00 PM - 11:00 PM

Sheryl Concert Detroit -- Fox Theater, Detroit

26th
27th
28th
29th

Jan
Jan
Jan
Jan

Fox Theater, Detroit - On Sale Dec 9


Riverside Theater Milwaukee - On Sale Dec 12
Auditorium Theater Chicago - On Sale Dec 10
Ryman Auditorium, Nashville - On Sale Dec 10

January 27, 2006


Friday
5:00 PM - 5:00 PM

Due Twardowski Order Due -- Reading, PA

610-320-5255 phone
Ext 248 Kathy, Twardowski Clerk
Ext 243 Twardowski
UNITED STATES BANKRUPTCY COURT
EASTERN DISTRICT OF PENNSYLVANIA
In Re: Stanley J. Caterhone
Debtor Case No: 05-23059-tmt
Chapter: 11

ORDER
AND NOW, this, 1/09/2006, it appearing that counsel may have attempted to add
creditors after a notice of the meeting of creditors was served upon all Listed
creditors. but failed to file a certificate of service of the debtor's amended
schedules or amended matrix as required the pvisions of Local Banlauptcy Rule
1009.1, it is hereby ORDERED that if such certifcation of service of amended matrix is
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9/25/2006 10:03 AM

January 27, 2006 Continued


Friday
not filed within Twenty (20) days from the date of this Order. the case will be
closed without any such amendment, and the discharge andlor claims of exemption of
the debtor(s) may not be effective as to the added debtor( s ) upon whom notice was
not served.
Thomas M. TwardowsId

Judge

6:00 PM - 11:00 PM

United States Bankmptcy Court

Sheryl Jan Riverside Theater Milwaukee -- Jan Riverside Theater Milwaukee

26th
27th
28th
29th

Jan
Jan
Jan
Jan

Fox Theater, Detroit - On Sale Dec 9


Riverside Theater Milwaukee - On Sale Dec 12
Auditorium Theater Chicago - On Sale Dec 10
Ryman Auditorium, Nashville - On Sale Dec 10

January 28, 2006


Saturday
6:00 PM - 11:00 PM

Sheryl Auditorium Theater Chicago -- Auditorium Theater Chicago

26th
27th
28th
29th

Jan
Jan
Jan
Jan

Fox Theater, Detroit - On Sale Dec 9


Riverside Theater Milwaukee - On Sale Dec 12
Auditorium Theater Chicago - On Sale Dec 10
Ryman Auditorium, Nashville - On Sale Dec 10

January 30, 2006


Monday
All Day

psdms -- 220 Stone Hill Road, Conestoga, PA 17516

Mail env
6:00 PM - 11:00 PM

Sheryl Ryman Auditorium, Nashville -- Ryman Auditorium, Nashville

February 01, 2006


Wednesday
8:00 AM - 12:00 PM

ANSWER TO FULTON BANK REQUEST FOR RELIEF FROM AUTOMATIC STAY

Local Bankruptcy Form 9014-3


UNITED STATES BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA

IN RE

:
:

Chapter 11

NO. 05-23059-

Stanley J. Caterbone,
TMT
Debtor

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9/25/2006 10:03 AM

February 01, 2006 Continued


Wednesday
NOTICE OF MOTION ANSWER TO FULTON BANK REQUEST
FOR RELIEF FROM AUTOMATIC STAY

On January 24, 2006 Fulton Bank filed a Motion for Relief from
Automatic Stay Pursuant to 11 U.S.C. Section 362 and Bankruptcy Rule 9014 in
order to exercise its state law rights and remedies as concerns its mortgage lien
against Debtor's premises located at 220 Stone Hill Road, Conestoga. Lancaster
County, Pennsylvania.
The following is my answer requesting the courts to deny the Motion for Relief
from Automatic Stay due to many circumstances surrounding this mortgage,
specifically the civil actions currently before the In The United States District Court
For The Eastern District Of Pennsylvania in STANLEY J. CATERBONE Plaintiff,
VS. FULTON BANK, Civil Action No: 05-2288, under the jurisdiction of the
Honorable Mary A. McLaughlin.

1. Due to circumstances beyond my control, I and the Advanced Media Group


was erroneously denied fair access to the courts dating back as far as 1987
to file civil complaints against FULTON BANK. The nature of those
complaints involve the following:
a.

b.

c.

d.

Advanced Media Group

1987 - Libel and slander pertaining to a FULTON BANK


employee (Jill Carson), against my person while a customer of
FULTON BANK that contributed to my demise and the demise
of my company and its subsidiaries Financial Management
Group, Ltd. A check for insurance for my plain that was posted
against my account at FULTON Bank in 1987, was intentionally
and maliciously used for a reason for the wrongful repossession
by the then Commonwealth Bank, resulting in several violations
of lender liability against both FULTON BANK and
COMMONWEALTH BANK(MELLON BANK), some 30 days
before my first payment on the loan with COMMONWEALTH
BANK.
1990 - Diversion of funds regarding a check that was
erroneously posted against my account in 1991, that involved
Mr. Hostettler, the branch manager of the FULTON BANK
branch at the Greenfield Corporate Center.
1995 - The diversion of funds and extortion of funds by
FULTON BANK from the late Thomas P. Caterbone, my
brother, in 1995, from his company Country Funding, which was
a primary circumstance surrounding his suicide in 1996.
2006 - The undo influence of the FULTON BANK account for
Toms Project Hope account that I was the sole signatory and
depositor of funds in 2005 by a FULTON BANK employee or
employees.
46

9/25/2006 10:03 AM

February 01, 2006 Continued


Wednesday
The following is a letter that I had sent to Ms. Christina Rainville, attorney of
the law firm of Schnader Harrison Segal & Lewis, of Philadelphia, to whom I had
requested assistance in gaining fair access to the courts pertaining to the above
allegations of wrongdoing against FULTON BANK, and six (6) other defendants, in
November of 1997. Ms. Rainville had acknowledged that letter and had later told me
that the law firm of Schnader Harrison Segal & Lewis was preventing her from
representing any more clients from Lancaster County other than Lisa Michelle Lambert
and Daryl McCrakken.
The purpose of presenting this letter to the courts is to provide you with
sufficient background information in making a lawful determination.
It is my opinion that the request for Motion for Relief from Automatic
Stay Pursuant to 11 U.S.C. Section 362 and Bankruptcy Rule 9014, from
FULTON BANK, be denied until the Civil Action No: 05-2288 be lawfully
adjudicated by The United States District Court For The Eastern District Of
Pennsylvania.

Any questions pertaining to the above may be addressed to the following:


Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Facsimile:
717-427-1621
Phone:
717-799-5915
Email:
amgroup01@msn.com

Dated:

February 1, 2006

COPY OF LETTER OF NOVEMBER 23, 1997


January 23, 1997
Mr. Stan J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Ms. Christina Rainville
1300 Market Street
Philadelphia, PA 19103
RE:
Advanced Media Group

Previously discussed matters.


47

9/25/2006 10:03 AM

February 01, 2006 Continued


Wednesday
Dear Ms. Rainville:
I thank you for your help regarding the enclosed materials. As I have discussed
previously, I would appreciate your legal opinion as to the extent of my legal rights
concerning the following circumstances..
I will attempt to describe the many legal issues that are contained herein, and I have
provided documentation substantiating my claims. Due to the complexity and
sensitive nature of these issues, I have tried to reduce the paper to its simplest form,
while also protecting the integrity of my claims. I have also provided authentic
conversations, which I recorded merely in my defense as an accurate account of the
activities surrounding my sudden demise. I possess many more forms of evidence,
including over 9000 paper images that I had microfilmed in November of 1987.
I realize that you offered to review only a few documents, however it was necessary to
formulate the documents in a way that was sufficient to challenge the legal issues that
I am questioning. Documents 1 & 2 would provide a glimpse into the legal merits of
my claims. The following is an attempt to provide you with a brief description of the
activities and actions contained in these matters. Please understand that I have not
included any related activities that continued during 1991, especially concerning ISC
and the Central Intelligence Agency (CIA).
The following is a legend of the conversations contained on the Compact Disc:
2.

09/29/87 - A segment of the interview with the PA Securities and Exchange


Commission, Agent Howard Eisler, Attorney Robert Beyer, Client Millard
Johnson, and myself, present.
3.
02/24/88 - Meeting with Attorney Sandra Gray, of San Diego, California.
4.
07/10/87 - Phone conversation with Chuck Smith, President of Lancaster
Aviation.
5.
07/07/87 - Phone conversation with Attorney David Drubner.
6.
07/21/87 - Meeting in Hollywood California with the owner of Gamillion Film
Studios, who was seeking my help to secure financing. Also present is Marcia
Silen, a producer of the Digital Movie.
7.
10/27/87 - Telephone conversation with Pennsylvania Securities & Exchange
Commission Agent, Howard Eisler.
8.
10/26/87 - Detective Boden, of the Pennsylvania Attorney Generals office.
9.
02/24/97 - ABC News 20/20 segment on International Signal & Control, and
Arms to Iraq.
Please forgive the form of the following narrative, however it is especially draining to
prepare these materials. This is the first time that I have attempted this task, with the
exception of various efforts which were intended to merely defend myself, my person,
my character, my reputation, or my assets. You will eventually discover that the
question of my mental condition is of grave importance to my perpetrators. For the
record, I do suffer from Bi Polar Mood Disorder, however, no where during all of
these activities can anyone prove that I have acted irrationally or insane, the truth to
my actions are well recorded, however the massive attack on my mental condition is

Advanced Media Group

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9/25/2006 10:03 AM

February 01, 2006 Continued


Wednesday
proven to be centered around lies and hearsay.
Any help pertaining to these matters, no matter how small, will be greatly appreciated.
Please invoice me accordingly.
The Background.
Ten years ago I had built a financial firm, Financial Management Group, Ltd.,
(FMG). In 1985 I had conducted a marketing study that included interviewing more
than 5 local physicians, all of substantial wealth or income. I had merely described
my strategic plan for FMG, and they gave me feedback, all positive and enthusiastic.
In 1986 I incorporated 11 different corporations, all under the ownership of FMG.
To attract local talent, FMG was owned by not only the 3 principals, but stock was
offered to every professional in the organization, including satellite offices. I had
raised approximately $400,000 of capital to start the company, and I did it in
compliance of the PA SEC Rule 144 Regulation D public offering.
In one year, we had phenomenal growth. By June of 1987 we had invested
approximately $50 million of client funds. We provided relatively most of the
financial services necessary during ones lifetime. On the streets our organization
was worth approximately $4 million, which is strictly correlated to the commissions
paid out. We had at least 10 satellite offices, and covered 5 states. We also owned an
interest in the PSG Broker Dealer, which was worth another $1.5 million.
I was Executive Vice President and Secretary of FMG. I was President and Secretary
of FMG Advisory, which was our Registered Investment Advisor (RIA). I had been
pushing through the approval process with the Pennsylvania Securities and Exchange
Commission for more than 6 months, concerning the RIA.
In early 1987 I had developed a mortgage banking operation. I had negotiated with a
large Southwestern mortgage firm to provide mortgages for Eastern Pennsylvania.
Our lending capacity ranged from a minimum of $3 million and as high as $100
million. Even more important was the fact that this lending capacity was very and
sometimes more competitive than other area lending institutions, I had shortly
developed a very large list of clients for whom I was trying to secure financing for
various types of projects.
Combining the mortgage banking services with the ability of FMG to secure financing
through equity investment programs, I was very attractive the real estate community
that had deals to finance. My second cousin, in Houston, TX, provided me with this
opportunity. In the mater of 2 months, we had met not only with several large local
developers, I had also begun business with companies located in more than 5 other
states. I had provided a commitment letter for $5 million mortgage for Norris Boyd,
of Boyd Wilson, for the Village of Old Hickory. Norris Boyd had personally informed
me that I had a better deal than the Commonwealth National Bank (who will later
illegally reposes my airplane), where the loan was currently secured.
In February of 1987, because of our ability to raise capital, Scott Robertson requested
that I assist him in visiting Power Station Studio, who was trying to secure financing
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9/25/2006 10:03 AM

February 01, 2006 Continued


Wednesday
for a movie. Reluctantly, due to the risk involved with motion picture investments, I
went to Power Station Studios, in Manhattan. Tony Bongiovi built Power Station
Studios to be among of an elite few. The names of stars that recorded there was very
impressive. Tony also produced the sound track for Star Wars, which was very
profitable, and still is. Another project, although controversial, was his cousin, Jon
Bon Jovi. Power Station is where Jon Bon Jovi began his amazing career, under early
development of Tony, his cousin. Contractual disputes ruined the relationship, which
put large sums of money to risk. Jon Bon Jovi is one of the leading all time
musicians, in terms of revenues.
Tony described his project, which was not merely just a movie. Tony wanted to
develop the first Digital Movie. Given my thirst for technology, along with a
demonstrated knowledge, I became infatuated with the concept, the concept of
providing the highest quality of sound, along with the highest quality of video. I had
researched the merits of the technology, which complimented my own vision, and
found a tremendously feasible project, one which would have the potential to have a
major impact into the film and video industries. I had always personally believed that
sound was as important as the picture for the truest sense of entertainment. The
following documents will demonstrate my investment into this technology, along with
my keen sense of perception. Today we call this Direct Broadcast Satellite DSS,
which is currently causing the cable industry great pains. The consequences of digital
technologies to the world of information is what now gives us the Information
Highway, and all of its peripheral components.
The following documents will easily confirm my interests to the preceding three
businesses, FMG, the mortgage banking operation, and the Digital Movie project.
The relationship to my partners was less than amicable. In developing FMG I agreed
to let Mr. Robert Kauffman (Kauffman) act as President, upon the condition that we
each own the same amount of stock. Mr. Michael Hartlett (Hartlett) did contribute to
the early development of FMG. Since Kauffman could not control me, Kauffman and
Hartlett would of attempt to buy me out, well after I created and incurred the most
risk, and after the proven success of the organization. In the Spring of 1987, I had to
personally take control of the Board of Directors to undue a merger that presented
great risk to the company, and my investment. As part of our strategic plan, we
agreed to purchase an interest in a Broker Dealer, rather than spending the capital
and human resources in which it would require. I had personally traveled to
Washington D.C., to visit this company, which was Kauffmans idea, and I literally
found an empty shell. I found offices full of empty cartons, empy file cabinets, and
this was the company that was responsible for processing all of the securities business
that our brokers transact. This process was vital to our organization.
I immediately flew to Atlanta, GA, to visit another company, PSC, which had been
courting our company for a relationship for almost a year. It was a company that
provided technology, service, affiliates which accounted for several of the past
presidents International Association for Financial Planners, of which I served as Vice
President the Central Pennsylvania Chapter. (This association provided me with the
national exposure to develop FMG.)
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9/25/2006 10:03 AM

February 01, 2006 Continued


Wednesday
In May of 1987, while traveling to a conference in Palm Springs, CA, the FMG
Board of Directors approve the merger of PSG, I had voted via telephone from an
airport in Chicago.
The would be the last time that I would vote at an FMG Board of Directors meeting.
This is when I loose virtually everything that is vital to a businessman, my assets,
excellent credit rating and my spotless reputation, my professional designations and
licenses, the opportunity to continue the vast business opportunities that I have
developed, and most painfully, my dignity --- all without merit or reasonable cause.
June 23, 1987
10:30 am. I have a schedule meeting with Mr. Larry Resch and Mr. Carl Jacobson,
both of International Signal & Control, (ISC) and United Chem Con. The meeting
was to discuss different financial deals. Upon arriving, Mr. Resch disclosed to me
that they had to fly Carl out of the country this morning, he will not be here.
I remember that there was a lot of names and places, all over the world, that
mentioned.
During our discussions, I had become annoyed at something, so I began making
assertions that ISC and Mr. James Guerin was involved with fraudulent activities. I
further described some of those activities.
I did not know that Mr. Resch was as close to Mr. James Guerin as you could get.
At approximately 3:00 that same afternoon, I had Russell Locksmith company change
the locks to my office door. Between my partners and ISC, I apparently became
concerned.
2 Days later, on June 25th, via telephone, Mr. Kauffman carelessly reported that 2
stock certificates were issued, without my authorization.
First, I, acting as Secretary ,I must authorize and issue stock certificates, in
accordance to the Articles of Incorporation.
Secondly, Kauffman and company must have burglarized my office to gain access to
the corporate records, which were under my custody, as defined in the Articles.
Several days later, during the night, I had went into my office and removed all of my
files, and upon finding a forged stock certificate with another Board of Director
signing as myself and as Secretary, which violated several bylaws of the Articles of
Incorporation.
The next day I went to the office of my attorney, Mr. Joseph, who advised me to return
all of the corporate files, and essentially suggested that I go home and get some rest.
Mr. Roda would later represent Mr. William Clark, corporate legal counsel for ISC
against Mr. James Guerin in contract dispute for several million dollars.
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February 01, 2006 Continued


Wednesday
That afternoon, I loaded all of my files into my airplane, to transport to Stone Harbor
NJ, where I was renting another house for the Digital Movie project. I had secured
pilots from Romar Aviation to transport the files early the next morning. I had driven
to New Jersey that evening.
That next morning, the pilot that I had hired to fly my plane, telephoned me and
informed me that my plane was repossessed and locked in a hanger, and he would not
be able to deliver my files.
Those files were the only means of substantiating the truth in order to protect myself
from whatever was happening.
My first payment to Commonwealth National Bank, was not due for another month.
In short, I finally found a pilot at the Cape May Airport to fly to Lancaster to my files.
He returned hours later with my files, and would only mention some incident involving
a gun. Later I would be told that he died a mysterious death the next month.
Not knowing that Commonwealth National Bank, the same bank that I was about to
transfer $5 Million mortgage to my mortgage operations, had actually repossessed my
titled airplane in the middle of the night. And conveniently with all of my files
aboard. What bank repossesses legitimate possessions in the middle of the night?
This will be the end of my life as I know it, I had demonstrated my success, my
reputation was exemplified through my ability to develop FMG, and my financial
credit was flawless. In the following months, I will suspiciously loose everything;
including my assets, my business interests, my reputation, my credit, and the most
valuable of all, my opportunity; and ultimately, my dignity. In reality, I was never
even given the chance to fail.
I will contend, and prove, that all of the actions, were without merit and many of
which were fraudulent themselves, and I know that I can substantiate that statement.
According the Articles of Incorporation, I was never legally removed as Secretary, or
any other official duties. Because, there cant be a Board of Directors Meeting
without me, the Secretary. The record in the preliminary hearing transcript clearly
proves that there was no legal Board of Directors Meeting that removed me.
I never resigned from any positions or official duties of FMG, nor was I ever officially
and legally removed from the same.
I was a Tenant, with a $500,000 personal guarantee attached to the lease of FMG,
Ltd.
The forgery of stock certificates violated the bylaws of the Articles of Incorporation,
thus , as Secretary, my duties were to safeguard the corporate records.
The evidence indicates that all of the arrests were fabricated, the airplane
repossession was illegal, and all of the allegations of insanity were malicious.
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Wednesday
In September of 1987, in the Report to the Board of Directors of Ferranti
International, raised a question of substantial risk, unlike that of which Ferranti was
accustomed. The report cautioned any alliance due to the related CIA activities
connected to ISC, and the lack of stability of the customers (Iraq?). At that same
time, I was making public allegations against ISC. My conversations posed
considerable risk to those connected with the pending deal with Farranti.
I can substantiate my claim that; everything that transpired during the days
immediately following the forged stock certificate, of FMG, Ltd., stock on June 25,
1987 was illegal and violated several of the bylaws of the Articles of Incorporation I
was the only officer that was in compliance with the bylaws of the Articles of
Incorporation, and the only officer that did not violate criminal codes.
I can substantiate my claim that I had an interest in Digital Technologies,
including patent research from Mr Joel Goldhammer, of the law firm of Seidel,
Gonda, Goldhammer & Abbott, P.C. of Philadelphia, which violated several statutes
of intellectual property rights.
I can substantiate my claims that all of the arrests and hospitalizations were malicious
and illegal, violating several of my civil rights.
I can substantiate my claim that my allegations of fraud within International Signal &
Control, Plc., were motive for many of my perpetrators.
I can substantiate my claim that the Pennsylvania Attorney Generals Office, and the
Pennsylvania Securities and Exchange Commission; aided and abetted in the sale of
Arms and Technologies to Iraq, by virtue of the fact that I made formal complaints
involving the same, and both agencies violated my constitutional rights to suppress the
truth of my complaints.
I can substantiate the legal validity of the recorded conversations for my defense.
My interests in Digital Technologies, and my demand to be restored to whole, is
the matter at hand.
I Remain,
Stan J. Caterbone

Enclosure:

CD-ROM

NOTICE OF MOTION. RESPONSE DEADLINE


AND HEARING DATE
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Fulton Bank has filed a Motion for Relief from Automatic Stay Pursuant to 11
U.S.C. Section 362 and Bankruptcy Rule 9014 in order to exercise its state law
rights and remedies as concerns its mortgage lien against Debtor's premises located
at 220 Stone Hill Road, Conestoga. Lancaster County, Pennsylvania.
Your rights mav be affected. You should read these papers carefully and discuss
them with your attorney, if you have one in this bankruptcy case. (If you do not have
an attorney, you may wish to consult an attorney.)
1. If you do not want the court to grant the relief sought in the motion or if
you want the court to consider your views on the motion, then on or before
February 8, 2006 you or your attorney must do & of the following:
(a) File
The Madison Building
400 Washington Street, 3" Floor
Reading, PA 19601
If you mail your answer to the bankruptcy clerk's office for filing, you must mail; it
early enough so that it will be received on or before the date stated above; and (b)
mail a copy to the movant's attorney:
Shawn M. Long, Esquire
Barley Snydcr, LLC
126 East King Street
Lancaster, PA 17602
Telephone: (717) 399-1512
Facsimile: (717) 291-4660

11:00 AM - 12:30 PM

Peace activist at E-town -- E-town College

A Juniata College official who has spent three decades working to discourage military conflict
will give a talk next week at Elizabethtown College on "Iraq, Vietnam, and the Dilemmas of
Soldiers."
James Skelly, senior fellow at Juniata College's Baker Institute for Peace and Conflict
Studies, will speak Wednesday, Feb. 1, at 11 a.m. in E-town's Gibble Auditorium, in
Esbenshade Hall.
His talk is free and open to the public.
Skelly also is academic coordinator of peace and justice programs for Brethren Colleges
Abroad.
As a young U.S. military officer, his refusal to serve in Vietnam led to a lawsuit against the
Secretary of Defense that helped redefine the criteria for in-service conscientious objection.
He received an honorable discharge in 1971.

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February 02, 2006


Thursday
All Day

Sheryl at the Hard Rock Cafe -- New York, NY

9:00 AM - 9:00 AM

Judge Twardowski Feb 2 Order -- Reading, PA

UNITED STATES BANKRUPTCY COURT


EASTERN DISTRICT 01: PENNSYLVANIA
In Re: Stanley J. Caterbone
DebtoNs) Case No: 05-23059-tmt
Chapter: 11

ORDER

AND NOW, this, 1/31/06 , it appearing that counsel may have attempted to add creditors
after a notice of the meeting
of creditors was served upon all Listed creditors, but failed to file a certificate of service
of the debtor's amended
schedules or amended matrix as required the provisions of Local Bankruptcy Rule 1009.1,
it is hereby
ORDERED that if such certification of service of amended matrix is not filed within twenty
(20) days from the date
of this Order, the case will be closed without any such amendment, and the discharge
and/or claims of exemption of
the debtor(s) may not be effective as to the added creditor(s) upon whom notice was not

served.
By The Court
Thomas M. Twardowski
Judge , United States Bankruptcy Court
12:00 PM - 1:00 PM

Sheryl Concert Hard Rock Cafe -- New York, NY

"Off the Record" concert

February 03, 2006


Friday
8:00 AM - 8:30 AM

Reminder to Artists or AMG/Interscope

Send artists of label welcome letter


12:00 PM - 1:30 PM

Rcvd LC KEGEL KELIN ALMY & GRlMM responst to Fed Civil Action -- Facs to Judge McLaughlin

Advanced Media Group


220 Stone Hill Road
Conestoga, PA 17516
February 3, 2006
KEGEL KELIN ALMY & GRlMM LLP
24 North Lime Street
Lancaster, PA 17602
TEL717.392.1100
FAX 717.392.4385
wwwkkaglaw.com
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Friday
Dear Mr. Kelin:
I am curious to the following statements:
I responded that I would likely not be the attorney of record, and that insurance counsel would
be assigned to defend against any such claim.
Now, would likely not, does not mean that you are or are no? Could you please just tell me if you are? Why
not just say that I am not?
and that insurance counsel would be assigned to defend against any such claim. Caterbone's
complaint
How can I serve the insurance counsel for the case if he is not assigned until after he is served?
Thus, Mr. Caterbone's attempted service was ineffective. In light of your Order datedJanuary
6,2006, his complaint against the Lancaster County Prison and the Lancaster County Sheriffs
Department is subject to dismissal.
So, if you are not attorney of record, than why and how do you have a legal opinion regarding the civil complaint
that I filed?
Now, just for the record, you are aware of Case No. CI-05-03644, which is currently before your courts, is in stark
contrast to your views, actions, and legal opinions regarding the Convention Center?
Respectfully,
Stan J. Caterbone
Cc:

The Honorable Mary A. McLaughlin


United States District Court for the Eastern District of Pennsylvania

www.amgglobalentertainmentgroup.com
infor@amgglobalentertainmentgroup.com
717.799.5915 Phone
717.427-1621 Fax

KEGEL KELIN ALMY & GRlMM LLP


24 North Lime Street Lancaster, PA 17602 TEL717.392.1100 FAX717.392.4385 wwwkkaglaw.com

February 2,2006

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BY FACSIMILE 1267-299-5071) AWD FIRST-CLASS MAIL

The Honorable Mary A. McLaughlin


United States District Court for
the Eastern District of Pennsylvania
U.S. Courthouse
601 Market Street, Room 13614
Philadelphia, PA 19106-1748
Re: Stanley J. Caterbone v. Lancaster County Prison, et al.. Civil Action No. 05-2288
Dear Judge McLaughlin:
This concerns as pro se lawsuit filed by Stanley J. Caterbone against (among others) the
Lancaster County Prison and the Lancaster County Sheriffs Department.
The County of Lancaster currently is without a Solicitor. In the absence of a Solicitor, I was
appointed Interim Special Counsel to the County on December 29,2005.
Attached is an email I received from Mr. Caterbone on January 16,2006, and my response to
him sent a few minutes later. Mr. Caterbone asked if I would be the "attorney of record" for a
lawsuit against the Lancaster County Prison and the Lancaster County she&. I responded that I
would likely not be the attorney of record, and that insurance counsel would be assigned to
defend against any such claim. Caterbone's complaint. The other was a summons to Lancaster
County Sheriffs Department and a copy of Mr. Caterbone's complaint.
Each package also contained a copy of your Order of January 6,2006, which required service of
process by January 25,2006, and stated that the Court will dismiss Mr. Caterbone's complaint
without prejudice if service is not effected by that date.
Service of the summons and complaint has not been made, because Mr. Caterbone's attempted
service was not proper.

The Honorable Mary A. McLaughlin


February 2,2006
Page 2
Pursuant to Fed. R. Civ. P. 4(j)(2), service upon a government organization shall be effected by
delivering a copy of the summons and complaint either to its chief executive officer or by other
means permitted by state law. As I am not the chief executive officer of Lancaster County (or
of its Prison or Sheriffs Department), service was effective only if it was in compliance with
Pennsylvania law.
Mr. Caterbone's attempted service did not comply with state law. Pursuant to Rule 422 of the
Pennsylvania Rules of Civil Procedure, handing a copy to one of the following must make
service of original process on a political subdivision:
(2) the person in charge at the office of the defendant, or 1
(3) the mayor, or the president, chairman, secretary or clerk of the tax levying body
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Friday
thereof. . . .
I am not an agent duly authorized by the County of Lancaster to receive service of process. I
am not the person in charge of the office of the County of Lancaster. I am not the chairman of
the County Board of Commissioners.
Thus, Mr. Caterbone's attempted service was ineffective. In light of your Order dated
January 6,2006, his complaint against the Lancaster County Prison and the Lancaster County
Sheriffs Department is subject to dismissal.
I would be pleased to provide any further information upon request of the Court.

cc: Mr. Stanley J. Caterbone


Lancaster County Commissioners
Mr. Don Elliott. County Administrator

February 04, 2006


Saturday
9:00 AM - 9:00 AM

Ipod & Ring Missing -- 220 Stone Hill Road, Conestoga, PA 17516

Woke up and found Ipod and Ring Missing. Ipod was crashed and charging in van.

February 05, 2006


Sunday
4:00 PM - 4:30 PM

Conestoga Police Speeding Ticket -- Main Street, Conestoga, PA

February 06, 2006


Monday
2:30 AM - 2:30 AM

Ipod Found.

8:00 AM - 8:30 AM

Donegal Policy Due $159

PAE 3015468 faxed to 426-7031


10:00 AM - 10:00 AM

Manheim Township Police Order to Dismiss Federal cv05-0288 to Judge McLaughlin


?"

.:-

,\

2005 to the Court requesting permission to amend his "comp


This Court by Order dated January 5,2006, directed Plaintiff to serve his summons and
com~laiubt y Jan- 25,2006.
Township Police Department, the Stone Harbor Police Department, Commonwealth
National Bank, the Lancaster County Prison, and the Avalon Police Department, all by
c e ~ emdai l on January 17,2006. No green cards, i.e., no signed certified mail receipts,
were filed with the Certificates of Service.
4
hues of Fact. a summons. and this Court's Order of
- ''
Set Affidavits A and B. The document sent to Mr.
liDn~ot ice and a rcaucst for waiver of service of summom
w December 3,1987. PlaintifPs 1s
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Monday
D, E, A (&). Neither document alleges any additional actions on the part of the Police
Department that Plaintiff contends harmed him or denied him any protected rights.
The Manheim Township Police Department is not a separate governmental entity.
It is a department of Manheim Township. Manheim Township has filed a Motion to
Dismiss Plaintiffs "pleading" on behalf of its Police Department on the grounds of
insufficient service of process pursuant to F.R.C.P. 12@)(5) and for failure to state
claim upon which relief can be granted
which relief may be b e c Pi~t 3; 1987, ~hieh
barred by the statute of lia~itatim?
(2) Service upon a state, ~llunicipawl rpmtion, or other
govemmaal oxgauization subject to suit shall be effected by delivering a
copy of the sunrmons and of the wmplaint to its chief executive officer or
by sening the stunmolls and c o m ~ h hint the rnanner prescribed by the law
of that state for the service of mintnom or other like process upon any such
defendant.
F.R.C.P. 4(j)
As set forth in Affidavits A and B attached to the Motion to Dismiss, no service
was effected by delivery. Indeed, PlaintifFs Certificate of Senice states that he did not
attempt service by delivery, but by certified mail. However, Pennsylvania law does not
permit service by certified mail upon a municipal corporation by a citizen of the same
state. Pa. R.C.P. 422 governing service of process on the Commonwe a d on
political subdivis as
(b) Service of original process upon a political subdivision shall
be made by handing a copy to:
(1) an agent duly authorized by tSle politioal ~ i o stao
receive service of process, or ?
(2) the person in charge at the office of the defendant or
(3) the mayor, or the president, chairman, secretary or
clerk of the tax levying body thereof, and in counties where there is no tax
levying body, the chairman or the clerk of the board of county
commissioners.
Pa. R.C.P. 422@).
Having failed to comply with either the Federal Rules of Civil Procedure or the
p e f ~ ~ ~ hR&ulaes of Civil h~%hp%h h a h w
Township or upon its Police Department within the time period set forth in this Court's
Order of January 5,2006.
This case is very similar to Saimath v. Concurrent Technolopies, Cornoration,
227 F.R.D. 399 (W.D. Pa. 2005). In that case, a pro se plaintiff attempted to serve
defendant with a sunnnbns and complaint by certified mail. The defendant received the
summons and complaint and signed a certified mail receipt, which plaintiff filed with the
court with a return of service. The summons and complaint were not accompanied by a
request for waiver of service of summons. The plaintiff did not complete the return of
service provisions on the summons.
The Defendant filed a motion to dismiss the complaint or to quash seevhr;. The
court found that service
.,
~ennsylvaniaR ules of
corporations as for municipal corporations. The court stated, "Prolpea amvice m b o
effected through a postal service, including &ed mpil." 227 F.R.D. aX 402. TBe
court also stated, "The Court also observes that, 'the party llaakidg the service has the
burden of demonstrating its validity when an objection of service is made."' 227 F.R.D.
at
The ,Swath court concluded that the motion to dismiss should not be granted
because the plaintiff had made a good faith effort to serve the defendant and because
there. was, "the
afforded to pro
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Monday
procedural technicality." 227 F.R.D. at 404.
Those reasons do not apply to this case. (a) There is no evidence of good faith.
Indeed, Plaintiff has falsely represented service upon the Manheim Township Police
Department. (b) Likewise, Plaintiff should not be extended any leniency because of his
misrepresentations as to service. (c) There is no "reasonable prospect" of service in this
case because the time for service pursuant to this Court's Order of January 5,2006, has
passed. Accordingly, the Motion to Dismiss for insufficiency of service should be
granted.
,tMonlyIf,'thetime
alleged in,@mtcsmt of s claiiusaiows that the. awe of action has not been bae~ ,-;x
within the statute o f ~ t i o n s . '&"~ biasmv . Jobmg~,3 13 ~ . 3 d12 8, 135 (3d Cir.
'Third Circuit Rvlc' allows defendants to raise a limitations defense in a Rule 12@)(6)
motion where the 'time alleged in the statement of a claim shows that the cause of action
has not been brought within the statute of limitations."')
Since it is apparent on the face of Plaintiffs "pleading" that the cause of action
has not been brought within the statute of limitations, Plaintiffs suit, at least to the
Manheim Township Police Department, must be dismissed.
In the event that the Court considers a motion to dismiss is inappropriate,
Date: February 6,2006
Manheim Township requests that the Court grant s u..n .../.. \>. l- -?, m t a -i-t PlainW
ursuant to F.R.C.P. 12@
,..
~.+~~.~ . ~
WHEREFORE, Manheim ~o-sh$ on behalf of its ~6ficeD epartment
respectfully requests that Plaintiffs "pleading"
Fact be dismissed.
HARTMAN UNDERHLL & BRUBAKER LLP
By: 1st Christo~herS . Underhill
Christopher S. Underhill
Attorney I.D. No. 07013
Attorneys for Defendants
221 East Chestnut Street
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that I am serving the foregoing Motion of Manheim
Township on Behalf of its Police Department to Dismiss or in the Alternative for Summary
Judgment Pursuant to F.R.C.P. 12(b)(5) and 12(b)(6) and Brief of Manheim Township on
Behalf of its Police Department in Support of its Motion to Dismiss upon the persons and in
the manner indicated below.
-. - , addr2;Csed as- follo
Stanley J. Cktirbone
220 Stone Hill Road
Conestoga, PA 1 75 1
Stone Harbor Police Dep
9508 Second Avenue 3088 Dune Drive
Stone Harbor, NJ 08247 Avalon, NJ 08202
Commonwealth National Bank
(Mellon Bank, N.A.)
One Mellon Center, Suite 19 I5
Pittsburgh, PA 15258
Lancaster County Sheriffs Department
50 North Duke Street
P.O. Box 83480
Lancaster, PA 17608-3480
Fulton Financial Co
One Penn Square
Lancaster, PA 17602
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Monday
HARTMAN UNDERHILL 62 BRUBAKER LLP
Date: February 6,2006 By: Is/ Christo~herS . Underhill
Christopher S. Underhill, Esquire
Attorney I.D. No. 07013
Attorneys for Manheim Township and
its Police Department
22 1 East Chestnut Street
Lancaster, PA 17602
Phone: (717) 299-7254Ra.x: (717) 299-3160
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff,
VS.
MANHEIM TOWNSHIP
POLICE DEPARTMENT, et al.
OF ITS POLICE DEPARTMENT TO DISMISS
OR IN THE ALTERNATIVE FOR SUMMARY J U D G M E ~ PIJFC~UAN~T m&% ci,d2
@)(5) AND 12@)(6]
PlahMs "pleading" ~~ of a;a vservice
pursuant to F.R.C.P. 12QX5) and for f a k e to state a claim on which relief can
be granted pursuant to F.R.C.P. 12@)(6) and avers in support thereof the following:
1. Plaintiff filed a Certificate of Service on January 23,2006, averring that he
served the Manheim Township Police Department by sending a copy of his "pleading" by
of the Manheim Township Police Department was filed with the Certificate.
2. The Manheim Township Police Department is not a separate governmental
entity. It is simply a department of Manheim Township.
3. Plaintiffs "pleading" was never sewed upon Chief Rager or any other
member of the Manheim Township Police Department or on any other person employed
by Manheim Township by certified mail or by any other means, all as set forth in the
Affidavits of Chief Rager and the Township Manager, James M. Martin, attached hereto
as Exhibits A and B, respectively.
. . ..
4. Plaintiff did send a wpy ofhis "- M,c " ;I . .'..'... .'+c.. : , . . ..<~ .*, ;. .<.> . , I .. . , . .,i
Order of ~ a n u G5,2 006, by ~edera~l &ressto George T. ~rubakera, 'partner in the la>;
fm of undersigned counsel.
5. Mr. Brubaker was
Department to accept service of any "pleading" by Plaintiff as set forth in the Affidavits
attached as Exhibits A and B.
6. The "pleading" was not accompanied by a notice or a request for waiver of
senice of summons pursuant to F.R.C.P. 4(d).
7. The only allegations regarding the Manheim Township Police Department
in either the Affidavit or the Findings of Fact are allegations of an alleged improper arrest
on September 3, 1987. m a 4
8. These allegations are clearly barred by the statute of limitations.
9. Plaintiffs "pleading" does not remotely resemble a complaint as required by
F.R.C.P. 3. It does not contain a "short and plain statement of the ground upon which this
court's jurisdiction depends or a short and plain statement of the claim showing the
pleader is entitled to relief or even a demand for judgment for the relief plaintiff seeks",
all as required by F.R.C.P. 8(a).
WHEREFORE, Manheim Township, on behalf of its Police Deparbnent, requests
that the Plaintiffs "pleading" consisting of an Mdavit and Findings of Fact be dismissed
because service was not obtained by January 25,2006, as requiredbytimCkBQ&W
.: .... ,
Court of January 5,2006, and because the
relief may be grantee*speccfuuy submitted,
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Monday
Dated: February 6,2006
Attorney LD. No. 07013
Attorneys for Manheim Township
and its Police Department
221 East Chestnut Street
Lancaster, PA 17602
Phone: (717) 299-7254, Fax: (717) 299-3 160
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff,
Paul D. Ragcrs being dHly - , .
..
2. That the Manhem Town&@ Police is not a wpmtc entity, bru
3. That neither he nor any other person in the Mdeim Township Police
Department has been served with Plaintiffs "pleading" by certified mail or by any other
means.
4. That George T. Brubaker has never been authorized to accept service of any
5. The facts set forth in this Aflidavit are true and correct to the best of his
knowledge, information and belief. h Pau D. Rager
Sworn to and subscribed :
before me this [dth day of :
6 h ruac,
- --. -,2006 NOTARIAL SEAL j 1 %!aile R. Fisher, Notary Public 1
?-G.b&$de !\:a. :i 3t!;m Township, Lancaiter County
Notary Public - . . . . .. . .- . . . . . !
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
S?ANLEY J. CATERBONE,
Plaintiff,
VS .
James M. Martin, being duly swam acuxd@.&..-, .W. t bWb
That the Manheim Townsb$ ~ a e e a c l r ~ t e @ , b
is a department of Mdeim Township.
3. That neither he nor any. o ther person employed by Manheim Township
Police has been served with Piaintifps "pleading" by certified mail or by any other means.
4. That George T. Brubaker has never been authorized to accept service of any
legal papers on behalf of Manheim Township or its Police Department.
knowledge, information and belief.
Sworn to and subscribed :
before me this day of :
Febcw*+( ,2006
I, &h .a/Notary Public
COMMONWEALTH OF PENNSYLVAMA
UldaM.oiPma.NcgryPlrbso
Manbar, Pennsylvania Asszdatlon W Not.rLa
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE.
Plaintiff,
* . C WAC TION NO.: 05-2288
MANHEIM TOWNSHIP . L. & ;tIi-a' *d,.' : @ . %.- .i u;g~~i, ~ I': : ;, ::
--.-s%. :L. .>
% - POLICE DEPARTMENT, et al.
. . ~.
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Monday
! ' i~
HARTMAPJ.UNDERHILLr& BRUBAKER LLP
Dated: February 6,2006 By: Is1 Christo~herS . Underhill
Christopher S. Underhill
Attorney I.D. No. 07013
Attorneys for Manheim Township
Police Department
221 East Chestnut Street
t:
. .. ., .. : . . , < *,I i
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that I am serving the foregoing Praecipe for Entry of
Appearance upon the persons and in the manner indicated below.
Service by First Class Mail, addressed ae f o W
Stanley J. Catdone
22OOSmYHDlRorl [m Conestoga, PA 17516 ,
, .. .::.%. .>."-&
... .. .. "... - .. . . .. ., : 4. ] . .. , . . . . . . .,
Stone Harbor Police Department Avalon Police Department
9508 Second Avenue
Stone Harbor, NJ 08247
Commonwealth National
(Mellon Bank, N.A.)
One Mellon Center, Suite 1915
Pittsburgh, PA 15258
Fulton Financial Corporation
One Penn Square
Lancaster, PA 17602
HARTMAN UNDERHILL & BRUBAKER LLP
Christopher S. Underhill, Esquire
Attorney I.D. No. 07013
Attorneys for Manheim Township and
its Police Department
22 1 East Chestnut Street
Lancaster, PA 17602
Phone: (717) 299-7254Fa.x: (717) 299-3 160

5:00 PM - 5:30 PM

Drew Anthon MOTION TO ANSWER PRELIMINARY OBJECTIONS -- 220 Stone Hill Road, Conestoga, PA
17516

IN THE COURT OF COMMON PLEAS LANCASTER COUNTY,


PENNSYLVANIA
CIVIL DIVISION

PROJECT HOPE
ADVANCED MEDIA GROUP
220 Stone Hill Road
Conestoga, PA 17516
Plaintiff

Case No. CI-05-03644

DREW ANTHON,
(MA)EDEN RESORT INN
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Lancaster, PA 17601
Defendant

MOTION TO ANSWER PRELIMINARY OBJECTIONS


Plaintiff files the following opinion to the Defendants PRELIMINARY OBJECTIONS OF
DEFENDANTS filed on January 24, 2006 requesting the courts to dismiss this case.

1.

CONFLICT OF INTEREST: McNeese, Wallice, & Nurick are named as my


corporate attorneys in 1986 and are named in a Civil Action with the United States
District Court for the Eastern District of Pennsylvania Honorable Judge Mary A.
McLaughlin Case No. 05-2288.

2.

Medical Expenses from Lower Back Pain Due To Stress Excelsior Place Business Plan Fees UPS Store Lost Opportunity ___________
SUB TOTAL

$5,184.00
$7,000.00
$10,000.00

$22,118.00

ATTORNEY FEES AND ADMINISTRATION -

2,000.00

$24,118.00

TOTAL -

February 08, 2006


Wednesday
8:00 AM - 8:00 AM

Fulton Auto Stay Motion Due

1. If you do not want the court to grant the relief sought in the motion or if you want the
court to consider your views on the motion, then on or before February 8, 2006 you or your
attorney must do & of the following:
(a) File an answer explaining your position at
The Madison Building
400 Washington Street, 3" Floor
Reading, PA 19601
If you mail your answer to the bankruptcy clerk's office for filing, you must mail; it early
enough so that it will be received on or before the date stated above; and
(b) mail a copy to the movant's attorney:
Shawn M. Long, Esquire
Barley Snydcr, LLC
126 East King Street
Lancaster, PA 17602
Telephone: (717) 399-1512
Facsimile: (717) 291-4660
2. If you or your attorney do not take the steps described in paragraphs l(a) and l(b)
above and attend the hearing, the court may enter an order granting the relief requested in the
motion.
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3. A hearing on the motion is scheduled to be held before the Honorable Thomas M.
Twardowski

on February 21, 2006, at 9;30 a.m. in Courtroom 1, United States Bankruptcy


Court, 400 Washington Street, Reading, PA 19603.
4. If a copy of the motion is not enclosed, a copy of the motion will be provided to
you if you request a copy rom the attorney named in paragraph 10).
5. You may contact the Bankruptcy Clerk's office at 610-320-5255 to find out
whether the hearing has been canceled because no one filed an answer.
Date: January 24,2006

8:00 PM - 11:00 PM

2006 Grammy's -- Stape Center, Los Angelos

2006 GRAMMY AWARDS ON CBS


The Grammy Awards will open with a meeting of the Material Girl and the virtual world.
Madonna and Gorillaz will perform together for the first time at the 48th Annual Grammy
Awards, which will be presented Wednesday at Staples Center in Los Angeles.
The 47-year-old pop star will sing with the Gorillaz, who will be appearing in 3-D animated
color. The brainchild of Blur frontman Damon Albarn, Gorillaz are a melding of rock and hiphop that represents band members as cartoon alter-egos created by animator Jamie Hewlett.
Paul McCartney has been added to the list of performers, the Recording Academy announced
Thursday, who also include Mariah Carey, John Legend, Kanye West, Bruce Springsteen, U2
with Mary J. Blige, Coldplay, Faith Hill with Keith Urban, Sugarland and Jamie Foxx.
It will be McCartney's first ever performance at the Grammys, the Academy said. This year,
he is nominated for three awards, including album of the year for "Chaos and Creation in the
Backyard."
The Gorillaz are nominated for four Grammys, including record of the year for "Feel Good
Inc.," which features De La Soul.
Madonna, who has won five Grammys, released "Confessions on a Dance Floor" in
November. She is not nominated this year.
The Grammys will be broadcast by CBS at 8 p.m.

2006 GRAMMY AWARDS ON


CBS
Mariah Carey ended her 16-year Grammy drought, but rock gods U2 smashed her comeback
queen dreams by snatching five trophies Wednesday, including song and album of the year.
Carey, one of the best-selling artists of all time, hadn't won a Grammy since her first two as a
fresh-faced ingenue in 1990. This year, she was nominated for a leading eight and won three
in the pre-telecast ceremony. No woman had ever won more than five in one night.
But Carey was shut out through the entire televised portion, losing twice to U2, once to Green
Day for record of the year and once to former American Idol Kelly Clarkson for best female
pop vocal performance.
"If you think this is going to go to our head, it's too late," U2 frontman Bono said after the
group won song of the year.
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After winning the night's big award, album of the year, Bono told Carey, "You sing like an
angel."
John Legend won three awards: best new artist, best R&B album for his debut, "Get Lifted,"
and best male R&B vocal for the piano ballad "Ordinary People." His mentor, Kanye West,
also won three.
Clarkson won two, including best pop album.
"I'm sorry I'm crying again on national television," said Clarkson, tearful and shaking as she
held her first Grammy. "Thank you so much, you have no idea what this means to me."
The highlight of the show was the appearance of Sly Stone, the mercurial, psychedelic
pioneer who disappeared from the music scene decades ago and hadn't performed in public
since 1993.
Toward the end of a sizzling all-star tribute, Stone emerged sporting a pale Mohawk against
his 61-year-old brown scalp and made his way through one of his biggest smashes, "I Want
To Take You Higher." Though the tribute was planned, many didn't expect Stone -- who
hasn't performed in public in years -- to show up.
Keith Urban was answering questions backstage when Stone's performance began playing on
a nearby monitor, and he had to stop talking.
"I think we just got upstaged," Urban said in amazement. "Everything pales in comparison."
Aside from winning the most awards, U2 provided one of the more rousing performances in
the jam-packed show as they sung their hit "Vertigo," then collaborated with R&B queen Mary
J. Blige's gospel-inflected fervor for their classic "One."
West's three Grammys matched his total for last year. The brash rapper/producer played up
(or lived up to) his egotistical reputation as he won best rap album for "Late Registration.
"I had no idea, I had no idea," West said in mock shock as he pulled a huge sheet of paper
that read "Thank You List."
Alison Krauss & Union Station also won three awards, including best country album, while
Stevie Wonder, who released his first album in 10 years last year, had two.
The show started off on a two-dimensional note as the cartoon-fronted rock group Gorillaz
performed their record of the year contender, "Feel Good Inc." with the help of animation, a
blue screen and guest rappers De La Soul. The performance then segued into a Madonna
moment, as the pop queen -- who was not nominated for any awards -- shimmied through the
Gorillaz' virtual space while singing her latest hit, "Hung Up."
A brief, impromptu performance by Alicia Keys and Wonder was the first to energize the
crowd. Wonder pulled out his harmonica and the two soulfully sang his classic "Higher
Ground" as a tribute to the late Coretta Scott King, who was buried Tuesday.
"Let's keep trying to reach that higher ground," singer Keys said. "I forever want to reach that
higher ground."
Winners at Wednesday's 48th Annual Grammy Awards:
Album of the Year: "How to Dismantle an Atomic Bomb," U2.
Record of the Year: "Boulevard of Broken Dreams," Green Day.
New Artist: John Legend
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Male R&B Vocal Performance: "Ordinary People," John Legend.
Pop Vocal Album: "Breakaway," Kelly Clarkson.
Rap/Sung Collaboration: "Numb/Encore," Jay-Z featuring Linkin Park.
Song of the Year: "Sometimes You Can't Make It on Your Own," U2.
Female Pop Vocal Performance: "Since U Been Gone," Kelly Clarkson.
Country Album: "Lonely Runs Both Ways," Alison Krauss and Union Station.
Rap Album: "Late Registration," Kanye West.
Rock Album: "How to Dismantle an Atomic Bomb," U2.
Rap Solo Performance: "Gold Digger," Kanye West.
Rap Performance by a Duo or Group: "Don't Phunk With My Heart," The Black Eyed Peas.
Rap Song: "Diamonds From Sierra Leone," D. Harris and Kanye West.
Solo Rock Vocal Performance: "Devils & Dust," Bruce Springsteen.
Rock Performance by a Duo or Group With Vocal: "Sometimes You Can't Make It on Your
Own," U2.
Hard Rock Performance: "B.Y.O.B.," System of a Down.
Metal Performance: "Before I Forget," Slipknot.
Rock Instrumental Performance: "69 Freedom Special," Les Paul and Friends.
Rock Song: "City of Blinding Lights, U2, (U2).
Alternative Music Album: "Get Behind Me Satan," The White Stripes.
Female R&B Vocal Performance: "We Belong Together," Mariah Carey.
R&B Performance by a Duo or Group With Vocals: "So Amazing," Beyonce and Stevie
Wonder.
Traditional R&B Vocal Performance: "A House Is Not a Home," Aretha Franklin.
Urban/Alternative Performance: "Welcome to Jamrock," Damian Marley.
The highlight of the show was the appearance of Sly Stone, the mercurial, psychedelic
pioneer who disappeared from the music scene decades ago and hadn't performed in public
since 1993.

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February 09, 2006


Thursday
11:00 AM - 11:30 AM

Fulton Bank Order to Dismiss Federal cv-0288 Judge McLaughlin

Motions
2:05-cv-02288-MAM CATERBONE v. LANCASTER COUNTY PRISON et al

United States District Court


Eastern District of Pennsylvania
Notice of Electronic Filing
The following transaction was received from CARFLEY, STEPHANIE entered on 2/9/2006 at 4:39
PM EST and filcd on 2/9/%06
Case Name: CATERBONE v. LANCASTER COUNTY PRISON et a1
Case Number: 2:05-cv-2288
Filer: FULTON BANK
Document Number: l7
Docket Text:
MOTION to Dismiss filed by FULTON BANK.Certificate of Service. (Attachments: # (1) Text of
Proposed Order)
(CARFLEY, STEPHANIE)
The following document(s) are associated with this transaction:
Document descripti0n:Mai.n Document
Original filename:da
Electronic document Stamp:
[STAMP dcecfStam~ ID=1001600548 IDate=2/9/20061 IFileNumbe~l882382-01
Document description:Text of Proposed Order
Original filename:da
Electronic document Stamv:
2:05-cv-2288 Notice will be electronically mailed to:
STEPHANIE CARFLEY scarfley@barley.com, kgarner@barley.com; tranck@barley.com;
easterndistrict@barley .corn
GEORGE M. GOWEN, 111 ggowen@cozen.com
CHRISTOPHER S. UNDERHILL chrisu@hublaw.com,
2:05-cv-2288 Notice will be delivered by other means to:
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff
LANCASTER COUNTY PRISON, MANHEIM :
TOWNSHIP POLICE DEPARTMENT, STONE :
HARBOR POLICE DEPARTMENT, AVALON : JURY TRIAL DEMANDED
POLICE DEPARTMENT, COMMONWEALTH :
NATIONAL BANK (i.e. MELLON BANK),
SOUTHERN REGIONAL POLICE
DEPARTMENT, LANCASTER COUNTY
SHERIFFS DEPARTMENT, FULTON BANK :
Defendant
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ORDER
AND NOW, this __ day of ,2006, upon consideration of Defendant Fulton Bank's Motion to Dismiss
Plaintiffs Complaint, its Brief in support thereof and any response thereto, it is hereby ORDERED
AND
DECREED that Fulton's Motion is GRANTED and Plaintiffs Complaint is DISMISSED WITH
PREJUDICE.

BY THE COURT:
Mary A. McLaughlin, J.

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
PIaintiff
LANCASTER COUNTY PRISON, MANHEIM
TOWNSHIP POLICE DEPARmENT, STONE
HARBOR POLICE DEPARTMENT, AVALON
POLICE DEPARTMENT, COMMONWEALTH
NATIONAL BANK (i.e. MELLON BANK),
SOUTHERN REGIONAL POLICE
DEPARTMENT, LANCASTER COUNTY
SHERIFFS DEPARTMENT, FULTON BANK
Defendant

JURY TRIAL DEMANDED

DEFENDANT FULTON BANK'S MOTION TO


DISMISS PLAINTIFF'S COMPLAINT
Defendant, Fulton Bank, by and through its attorneys, Barley Snyder, LLC, hereby moves this
Court pursuant to Rule 12(b) of the Federal Rules of Civil Procedure to dismiss Plaintiff's Complaint.
In support thereof, Defendant avers as follows:
1. On or about May 16, 2005, Plaintiff, Stanley J. Caterbone ("Caterbone")
filed a pro se Complaint against Fulton Bank ("Fulton") and various other Defendants.
2. Although Fulton received a copy of the Summons, Fulton was not sewed
with a copy of the Complaint within the 120 day time limit provifed by Rule 4(m) of the
Federal Rules of Civil Procedure.
3. Upon information and belief, on or about December 17, 2005, Plaintiff
sent a letter to this Honorable Court requesting leave to amend the Complaint and a
hearing.
4. By Order dated January 5,2006, the Court directed Plaintiff to serve
Defendants with the Summons and Complaint by January 25,2006 or face dismissal of
the Complaint without prejudice.
5. In that Order, the Court also denied a Motion to File the Complaint under
Seal that apparently was filed by Plaintiff, but never served upon Fulton.
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6. On January 20,2006, Fulton received via priority mail a copy of the
Court's Order of January 5,2006, the Summons and two (2) documents entitled
"Affidavit of Stanley J. Caterbone" and "Findings of Fact" which are believed to
collectively constitute the Complaint (hereinafter referred to as the "Complaint").
7. There are several defects andlor deficiencies in Plaintiffs Complaint.
Therefore, Fulton files the following Motion to Dismiss pursuant to Federal Rule of Civil
Procedure 12(b).

MOTION TO DISMISS FOR LACK OF


SUBJECT MATTER JURISDICTION
8. To the extent that Plaintiff is asserting that this Court has jurisdiction over
his claims by virtue of an alleged diversity of citizenship pursuant to 28 U.S.C. 91332,
Plaintiffs Complaint must be dismissed for lack of subject matter jurisdiction.
9. Section I332 requires that complete diversity exist between the parties,
which means that in order for the Court to have jurisdiction, the plaintiff cannot be a
citizen of the same state as any of the defendants. Grand Union Suuemarkets of
V.I.. Inc, v. H.E. Lockhart Management. Inc., 3 16 F.3d 408 (3d Cir. 2003).
10. In other words, in order to invoke diversity of citizenship as a basis for
federal subject matter jurisdiction, a plaintiff must show that he/she does not share
citizenship with of the defendants. Owen Equipment & Erection Co. v. Kroper, 437
U.S. 365,98 S.Ct. 2396,57 L.Ed.2d 274 (1978); Grand Union, 316 F.3d at 410.
11. Diversity jurisdiction exists only when all plaintiffs are of different
citizenship than all defendants. Stanley v. Exxon Cow., 824 F. Supp. 52 (E.D. Pa. 1993).
12. It is evident from the Complaint itself that complete diversity of citizenship between Plaintiff and
all of the Defendants does not exist here.
13. In the instant case, Plaintiff is a citizen of the Commonwealth of
Pennsylvania. However, Defendants Fulton, Lancaster County Prison, Manheim
Township Police Department, Commonwealth National Bank, i.e. Mellon Bank, and
Lancaster County Sheriffs Department are also citizens of Pennsylvania.
14. Since Plaintiff is a citizen of the same state as numerous Defendants,
complete diversity does not exist and this Court does not have subject matter jurisdiction
over the instant claim under 28 U.S.C. 9 1332.
15. Plaintiffs Complaint defeats, rather than establishes, federal subject
matter jurisdiction in this action based upon diversity of citizenship.
16. Accordingly, to the extent that Plaintiffs Complaint alleges that
jurisdiction in this case is based upon diversity of citizenship, it must be dismissed.
WHEREFORE, Defendant Fulton Bank respectfully requests that this Honorable
Court grant its Motion and dismiss Plaintiffs Complaint against it with prejudice.
MOTION TO DISMISS FOR IMPROPER SERVICE
17. The Complaint should also be dismissed because Plaintiff failed to comply
with the requirements of Rule 4 of the Federal Rules of Civil Procedure regarding service
of the Complaint.
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18. Rule 4(e) of the Federal Rules of Civil Procedure states:
Unless otherwise provided by federal law, service upon an
individual from whom a waiver has not been obtained and filed,
other than an infant or an incompetent person, may be effected in
any judicial district of the United States: (1) pursuant to the law of
the state in which the district court is located, or in which service is
effected, for the service of the summons upon the defendant in an
action brought in the courts of general jurisdiction of the State; or
(2) by delivering a copy of the summons and of the complaint to
the individual personally or by leaving copies thereof at the
individual's dwellin-e house or usual dace of abode with some
person of suitable age and discretion then residing therein or by
deliverin-g a co.py. of the summons and of the complaint to an agent
authorized by appointment or law to receive service of process.
19. Pennsylvania Rule of Civil Procedure 402 governs the manner of service
in the Commonwealth of Pennsylvania and provides that original process &ay be served:
(1) by handing a copy to the defendant; or
(2) by handing a copy (i) at the residence of the defendant to an adult
member of the family with whom he resides; but if no adult member of the
family is found, then to an adult person in charge of such residence; or (ii)
at the residence of the defendant to the clerk or manager of the hotel, inn,
apartment house, boarding house or other place of lodging at which he
resides; or (iii) at any office or usual place of business of the defendant to
his agent or to the person for the time being in charge thereof.
20. In the instant case, Plaintiff sewed Fulton with the Summons and
Complaint via priority mail on January 20,2006.
21. Mailing copies of the Summons and Complaint is insufficient to effect
service under the Federal Rules or the Pennsylvania Rules of Civil Procedure for a
defendant who is located in the Commonwealth of Pennsylvania.
22. Accordingly, proper service has not been made upon Fulton.
23. Nor has Plaintiff made a showing of good cause for his failure to properly
serve the Summons and Complaint upon Fulton. See e.p. Barrett v. City of Allentown,
152 F.R.D. 46,49 (E.D. Pa. 1993) (plaintiffs' pro se status or lack of knowledge of
procedural rules does not constitute good cause for failing to effect proper service).
24. Accordingly, Plaintiffs Complaint should be dismissed in its entirety.
WHEREFORE, Defendant Fulton Bank respectfully requests that this Honorable
Court grant its Motion and dismiss Plaintiffs Complaint against it with prejudice.
MOTION TO DISMISS FOR FAILURE TO STATE A CLAIM
WON WHICH RELIEF MAY BE GRANTED
25. l'he Complaint filed by Plaintiff in connection with this matter consists of
eighty-seven (87) pages of single-spaced text.
26. In those eighty-seven (87) pages, Fulton is only mentionedpn Pagcs 55,
56,80,81 and 86.
27. On Pages 55 and 56 of the Complaint, Plaintiff alleges that on August 2,
1990, Fulton "embezzled $5,000 from the checking account of Stan Caterbone due to an
error by Fulton Bank's accounting" and "refused to credit the account for more than 60
days, without crediting the lost interest income."
28. On Pages 80 and 8 1, Plaintiff alleges that in 1996, his brother, Tom
Caterbone, presented a check for deposit to Fulton on at least three (3) occasions and that
Fulton refused to deposit the check on each occasion because there were insufficient
funds in the account from which the check was to be drawn.
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29. On Page 86, Plaintiff merely alleges that Fulton is a limited partner in
Penn Square Partners.
30. Plaintiff provides no further factual or other support for his claims.
3 1. Based on these bare allegations, it is unclear from the Complaint exactly
what claims Plaintiff is attempting to assert against Fulton.
32. However, to the extent that Plaintiff is attempting to set forth a claim
against Fulton on Pages 55 and 56 of the Complaint for unjust enrichment, he has failed
to state a claim upon which relief can be granted.
33. Unjust enrichment is a quasi-contractual doctrine based in equity which
requires the following elements: (1) benefits conferred on a defendant by plaintiff; (2)
appreciation of such benefits by defendant; and (3) acceptance and retention of the
benefit without payment of value. Wiemik v. PHH U.S. Mortgage Corn., 736 A.2d 616,
622 (Pa. Super. 1999), appeal denied, 561 Pa. 700,751 A.2d 193 (2000).
34. Nowhere in the Complaint does Plaintiff allege that Fulton "appreciated"
the benefit of the allegedly embezzled $5,000; rather, Plaintiffs ~om~laim~a;kte s clear
that the "embezzlement" by Fulton was the result of an accounting error, not an
intentional act by Fulton.
35. Nor does Plaintiff allege that Fulton accepted or retained any benefit
without payment of value to Plaintiff.
36. To the contrary, it is clear from Plaintiffs Complaint that Fulton corrected
the error and credited the $5,000 back to Mr. Caterbone's account.
37. Even accepting the above-referenced allegations of Plaintiffs Complaint
as true, the Complaint fails to state a valid claim for unjust enrichment upon which relief
may be granted.
38. Accordingly, dismissal of the cause of action set forth on Pages 55 and 56
of Plaintiffs Complaint is warranted and appropriate.
39. Like his allegations on Pages 55 and 56, the exact claim being advanced
by Plaintiff on Pages 80 and 8 1 of the Complaint is unclear.
40. Plaintiff alleges that in 1996, his brother, Tom Caterbone, presented a
check for deposit to Fulton on several occasions and Fulton refused to deposit the check
because there were insufficient funds in the account from which the check was to be
drawn.
41. To the extent that Plaintiff is attempting to set forth a claim for common
law fraud, the allegations set forth on Pages 80 and 81 fail to state a cognizable claim
against Fulton upon which relief may be granted.
42. At common law, fraud consists of: (1) a representation made by the
defendant; (2) which is material to the transaction at hand; (3) made falsely, with
knowledge of its falsity or recklessness as to whether it was true or false; (4) with the
intent of misleading another into relying on it; (5) justifiable reliance on the
misrepresentation; and (6) damage to the plaintiff as a result of such reliance. Gibbs v.
m, 538 Pa. 193,207,647 A.2d 882,889 (1994).
43. In the instant case, even accepting Plaintiffs allegations as true, it is clear
from the Complaint that Fulton made no representations, false or otherwise, to Plaintiff
regarding the check at issue.
44. Rather, the check referenced on Pages 80 and 81 of the Complaint was
made payable to and was presented to Fulton by Plaintiffs brother, Tom Caterbone, not
Plaintiff.
45. Nor has Plaintiff pled any justifiable reliance by him on the alleged
representations made by Fulton regarding the refusal to deposit the check.
46. Finally, Plaintiff has not alleged, and cannot prove, any resulting damage
or injury to him caused by his reliance on Fulton's alleged representations.
47. Accordingly, dismissal of the cause of action set forth on Pages 80 and 81
of Plaintiffs Complaint is appropriate for failure to state a claim upon which relief may
be granted.
WHEREFORE, Defendant Fulton Bank respectfully requests that this Honorable
Court grant its Motion and dismiss Plaintiffs Complaint against it with prejudice.
MOTION TO DISMISS BASED UPON THE
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EXPIRATION OF THE STATUTE OF LIMITATIONS
48. Plaintiffs Complaint should also be dismissed under Rule 12(b)(6)
because the Complaint demonstrates, on its face, that the statute of limitations on
Plaintiffs claims against Fulton has expired,
49. Where it appears from the face of the pleading that the complaint is timebarred,
a motion to dismiss for failure to state a claim is proper. Oshiver v. Levin,
Fishbein, Sedran & Beman, 38 F.3d 1380, 1384-85 (3d Cir. 1994), on remand, 910 F.
Supp. 225. See also Sabo v. Parisi, 583 F. Supp. 1468 (E.D. Pa. 1984).
50. The facts as pled in the Complaint on Pages 55-56 and 80-81 demonstrate
that Plaintiffs claims date back to 1990 and 1996, respectively.
51. Additionally, it is clear from the Complaint that Plaintiff was aware at the
time of the facts giving rise to his asserted claims.
52. Accordingly, the statute of limitations has expired on Plaintiffs claims for
unjust enrichment and common law fraud. Calle v. York Hospital, 232 F.Supp.2d 353,
359-60 (M.D.Pa. 2002); Fine v. Checcio, 870 A.2d 850, 857 (Pa. 2005) (statute of
limitations for common law fraud is two-years and begins to run from the moment the
right to bring an action arises, regardless of lack of knowledge, mistake or
misunderstanding); Cole v. Lawrence, 701 A.2d 987,989 (Pa. Super. 1997) (unjust
enrichment claim action is subject to a four-year statute of limitations, as it constitutes a
contract implied-in-law).
53. Since the statute of limitations on Plaintiffs claims against Fulton has
long since expired, the Complaint should be dismissed, with prejudice, for failure to state
a claim upon which relief may be granted.
WHEREFORE, Defendant Fulton Bank respectfully requests that this Honorable
Court grant its Motion and dismiss Plaintiffs Complaint against it with prejudice.
MOTION TO DISMISS FOR LACK OF STANDING
54. Plaintiffs claim that Fulton rehsed to accept a check presented for
deposit by his brother must also fail because Plaintiff does not have standing to assert this
claim against Fulton.
55. In order to establish standing in a federal court "[a] plaintiff must allege
personal injury fairly traceable to the defendant's allegedly unlawful conduct and likely
to be redressed by the requested relief." Allen v. Wright. 468 U.S. 737,750, 104 S.Ct.
3315 (1984).
56. In the area of standing, the United States Supreme Court "has consistently
stressed that a plaintiffs complaint must establish that he has a 'personal stake' in the
alleged dispute, [and] that the alleged injury suffered is particularized as to him." Raines
w, 521 U.S. 81 1,819,117 S.Ct. 2312 (1997).
57. It is also well established that an "abstract injury" or "generalized
grievance'' is insufficient to meet the requisite standing requirements. Streater v. U.S.
Devt, of Transp., No. 95-2162,1996 WL 134807 at *4 (E.D.Pa. March 25,1996).
58. In the instant case, Plaintiff has not alleged that he has suffered any
particularized personal injury in relation to the claim set forth on Pages 80 and 81 of the
Complaint.
59. In essence, through his allegations, Plaintiff simply voices his disapproval
over Fulton's handling of the check presented by his brother.
60. This general grievance is insufficient to establish standing in this Court.
61. Nor has Plaintiff established that he has the right to bring an action on
behalf of his deceased brother.
62. Plaintiff is not the Executor of the Estate of Tom Caterbone. Rather,
Plaintiffs other brother, Steven Caterbone, was appointed the personal representative of
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the Estate.
63. Since Plaintiff has failed to allege or demonstrate any personal injury that
would give him standing to assert the claim set forth on Pages 80 and 81 of the
Complaint, this claim should be dismissed, with prejudice, pursuant to Fed.R.Civ.P.
12(b)(l).
64. Further reasons in support of this Motion are set forth in Fulton's Brief in
Support of the Motion to Dismiss Plaintiffs Complaint which is incorporated by
reference herein.

WHEREFORE, Defendant Fulton Bank respectfully requests that this Honorable


Court grant its Motion and dismiss Plaintiffs Complaint against it with prejudice.
Respectfully submitted,
BARLEY SNYDER, LLC
Dated: February 9,2006 By: 1st Stephanie Carflev
Stephanie Carfley, Esquire
Attorneys for Defendant Fulton Bank
126 East King Street
Lancaster, PA 17602-2893
(717) 299-5201
Court I.D. No. 79136

CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing Motion to Dismiss Plaintiffs
Complaint has been served this 9th day of February ,2006, by first class mail, postage prepaid, upon:
Stanley Caterbone Lancaster County Prison
220 Stone Hill Road 625 East King Street
Conestoga, PA 17516 Lancaster, PA 17602-3 199
Stone Harbor Police Department Avalon Police Department
9508 Second Avenue 3088 Dune Drive
Stone Harbor, NJ 08247 Avalon, NJ 08202
George M. Gowen, 111, Esquire Lancaster County Sheriffs Department
Cozen O'Connor 50 North Duke Street
1900 Market Street P.O. Box 83480
Philadelphia, PA 191 03 Lancaster, PA 17608-3480
Christopher S. Underhill, Esquire
Harhnan, Underhill & Brubaker, LLP
221 East Chestnut Street
Lancaster, PA 17602
The foregoing document has also been filed electronically and is available for
viewing and downloading on the ECF system.

BARLEY SNYDER LLC


By: 1st Ste~hanieC arfley
Stephanie Carfley, Esquire
Attorneys for Defendant Fulton Bank
126 East King Street
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Lancastcr, PA 17602-2893
(71 7) 299-5201
Court I.D. No. 79136

11:00 AM - 11:00 AM

Mellon Bank Request to Judge McLaughlin Order for Extension of Time


PHILADELPHIA ATLANTA CHARLOTTE CHERRY HILL CHICAGO DALLAS DENVER HOUSTON LA5 VEGAS
LONDON NEW YORK NEWARK SAN DIEGO SAN FQANCISCO SEATTLE TRENTON WASHINGTON, DC WEST
CONSHOHOCKEN WICHITA WIIMINGTON LOS ANGELES A PROFESSIONAL CORPORATION

1900 MARKET STREET PHIIADELPHIA, PA 19103-3508 215665,2000


800.523.2900 215.665.2013 FAX
www.coren.com

February 8,2006
VIA FIRST CLASS MAIL
Stuart A. Weiss
Direct Phone 215.665.4796
Direct Fax 215.701.2066
sweiss@cozen.com
The Honorable Mary A. McLaughlin
United States District Court for the Eastern
District of Pennsylvania
601 Market Street
Philadelphia, PA 19106
Re: Caterbone v. Lancaster County Prison, et al., 2:05-CV-2288
Dear Judge McLaughlin:
Enclosed please find a courtesy copy of the Motion of Mellon Bank, N.A. for an
Extension of Time, which was filed with the Clerk of Court via ECF today.
Sincerely,
COZEN O'CONNOR
By: Stuart A. Weiss
SAW
Enclosure
cc: Stanley J. Caterbone (w/ encl.)
George M. Gowen 111, Esquire (w/ encl.)
Christopher S. Underhill, Esquire (w/ encl.)
Avalon Police Department (w/ encl.)
Fulton Financial Corporation (w/ encl.)
Lancaster County Prison (w/ encl.)
Lancaster County Sheriffs Department (w/ encl.)
Stone Harbor Police Department (w/ encl.)

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA

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STANLEY J. CATERBONE,
Plaintiff,

I
Civil Action No. 2:05-cv-2288-MAM

LANCASTER COUNTY PRISON, et al.,


Defendants.

MOTION OF MELLON BANK, N.A.


FOR AN EXTENSION OF TIME
Mellon Bank, N.A. ("Mellon") hereby moves for a 14-day extension of time in which to respond to the
Complaint. The reasons for Mellon's motion are set forth in the accompanying memorandum of law.

Dated: February 8,2006

S/ George M. Gowen III


George M. Gowen III
COZEN O'CONNOR
1900 Market Street
Philadelphia, PA 19 103
Tel. (215) 665-2000
Fax (215) 665-2013
Attorneys for Mellon Bank, N.A.

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTIUCT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff,.

v.
LANCASTER COUNTY PRISON, et al.,
Defendants
MEMORANDUM IN SUPPORT OF MOTION OF
MELLON BANK, N.A. FOR AN EXTENSION OF TIME

Mellon Bank, N.A., ("Mellon") respectfully submits this memorandum in support of its
Motion for an Extension of Time. Mellon seeks a 14-day extension of time to respond to the
Complaint.
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On January 17,2006, Plaintiff sent Mellon a copy of the Complaint via certified mail (Mellon
does not agree that such service is adequate). The Complaint does not name Mellon as a defendant and
does not appear to contain any averments about Mellon. Rather, it alleges certain facts about
Commonwealth National Bank ("Commonwealth"). It appears that, without explanation, Plaintiff
equates Mellon with Commonwealth. Mellon seeks a brief extension of time to respond to the
Complaint, for several reasons.
First, the Complaint is quite long-87 single-spaced pages. The allegations cover more than 20
years and refer to several incidents involving several actors and entities. Moreover, the Complaint is
poorly organized and rambling. It does not contain the "short and plain statement of the claim,"
showing that Plaintiff is entitled to relief from Mellon, contemplated by the Federal Rules of Civil
Procedure. See Fed. R. Civ. P. 8(a). For these reasons, Mellon requires Civil Action No. 2:05-cv-2288MAM more than the 20 days allotted to it, under the rules, to understand and respond to Plaintiff's
allegations.
Accordingly, Mellon respectfully requests a 14-day extension of time in which to respond
to the Complaint.
Dated: February 8,2006

s/ George M. Gowen III


George M. Gowen 111
COZEN O'CONNOR
1900 Market Street
Philadelphia, PA 19103
Tel. (215) 665-2000
Fax (215) 665-2013
Attorneys for Mellon Bank, N.A.

CERTIFICATE OF SERVICE
I, George M. Gowen 111, hereby certify that I served a true and correct copy of the foregoing
Motion for an Extension of Time and the accompanying memorandum of law, via U.S, First Class
Mail, on the 8th day of February, 2006, upon the following:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 175 16
Lancaster County Prison
625 East King Street
Lancaster, PA 17602-3 199
Stone Harbor Police Department Avalon Police Department
9508 Second Avenue 3088 Dune Drive
Stone Harbor, NJ 08247 Avalon, NJ 08202
Fulton Financial Corporation
One Perm Square
Lancaster, PA 17602
Lancaster County Sheriffs Department
50 North Duke Street
P.O. Box 83480
Lancaster. PA 17608-3480
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Christopher S. Underhill, Esquire
HARTMAN UNDERHILL &
BRUBAKER, LLP
221 East Chestnut Street
Lancaster, PA 17602
Attorneys for Defendant Manheim Township
and its Police Department
s/George M . Gowen III
George M. Gowen 111
1900 Market Street
Philadelphia, PA 19103
Tel. (21 5)665-2000
Fax. (215)665-2013

IN THE UJITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA

STANLEY J. CATERBONE,
Plaintiff,.

v.
LANCASTER COUNTY PRISON, et al.,
Defendants

ORDER

AND NOW, this 9th day of February 6, upon consideration Motion of Defendant Mellon Bank, N.A.
("Mellon") for an Extension of Time, and any response thereto, it is hereby ORDERED that said
motion is GRANTED. It is hereby further ORDERED and that the deadline for Mellon's response to
the Complaint is extended by 14 days.

S/Mary McLaughlin
McLaughlin, J.

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1:00 PM - 1:00 PM

Fulton Bank Response and Aswers to Federal cv-0288 Judge McLaughlin

Responses and Replies


2:05-cv-02288-MAM.S&'TERBONE v. LANCASTER COUNTY PRISON et a!

United States District Court


Eastern District of Pennsylvania
Notice of Electronic Filing
The following transaction was received from CARFLEY, STEPHANIE entered on 2/9/2006 at 4:41
PM EST and filed on 2/9/2006
Case Name: CATERBONE v. LANCASTER COUNTY PRISON et a1
Case Number: 205-cv-2288
Filer: FULTON BANK
Document Number: 18
Docket Text:
RESPONSE in Support re [17] MOTION to Dismiss filed by FULTON BANK. (CARFLEY,
STEPHANIE)
The following document(s) are associated with this transaction:
Document description: Main Document
Original filenameda
Electronic document Stamp:
[STAMP dcecfStarnp lD=l001600548 [Date=2/9/2006] [FilcNumber=l882392-01
I41 2b7 19d2b2c63~0cb13 1 tD703b58b5b88c7fOOadc47d3cc041041d6475r40c47dOd
~d8224cdda~437b72affl9eaac29D942fBa7720286a7425~90bc114ea]]
2:05-cv-2288 Notice will be electronically mailed to:
STEPHANIE CARFLEY scarfley@barley.com, kgarner@barley.com; tranck@barley.com;
easterndistrict@barley.com
GEORGE M. GOWEN , I11 ggowen@cozen.com
CHRISTOPHER S. UNDERHILL chrisu@hublaw.com,
2%-cv-2288 Notice will be delivered by other means to:
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 175 16

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff
No. 05-CV-2288
v.
LANCASTER COUNTY PRISON, MANHEIM :
TOWNSHIP POLICE DEPARTMENT, STONE :
HARBOR POLICE DEPARTMENT, AVALON : JURY TRlAL DEMANDED
POLICE DEPARTMENT, COMMON WEALTH :
NATIONAL BANK (i.e. MELLON BANK),
SOUTHERN REGIONAL POLICE
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DEPARTMENT, LANCASTER COUNTY
SHERIFFS DEPARTMENT, FULTON BANK :
Defendants

DEFENDANT FULTON BANK'S BRIEF IN SUPPORT OF


MOTION TO DISMISS PLAINTIFF'S COMPLAINT
1. HISTORY OF THE CASE
On or about May 16,2005, Plaintiff, Stanley J. Caterbone ("Caterbone") filed a pro se
Complaint against Fulton Bank ("Fulton") and vatious other Defendants. Although Fulton
received a copy of the Summons, Fulton was not served with a copy of the Complaint.
Upon information and belief, on or about December 17,2005, Plaintiff sent a letter to this
Honorable Court requesting leave to amend the Complaint and a hearing. By Order dated
January 5,2006, the Court directed Plaintiffto serve Defendants with the Summons and
Complaint by January 25,2006 or face dismissal of the Complaint without prejudice. In that
Order, the Court also denied a Motion to File the Complaint under Seal that apparently was filed
by Plaintiff, but never served upon Fulton.
On or about January 20,2006, Fulton received via priority mail a copy of the Court's
Order of January 5,2006, the Summons and two (2) documents entitled "Affidavit of Stanley J.
Caterbone" and "Findings of Fact" which are believed to collectively constitute the Complaint
(hereinafter referred to as the "Complaint"). There are several defects andlor deficiencies in
Plaintiff's Complaint. Therefore, Fulton filed Motion to Dismiss pursuant to Federal Rule of
Civil Procedure 12(b). This Brief is submitted in support of Fulton's Motion to Dismiss.
11. ISSUES PRESENTED
A. WHETHER PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED FOR
LACK OF SUBJECT MATTER JURISDICTION?
Answered in the AFFIRMATIVE by Defendant Fulton Bank.
B. WHETHER PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED FOR
IMPROPER SERVICE?
Answered in the AFFIRMATIVE by Defendant Fulton Bank.
C. WHETHER PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED FOR
FAILURE TO STATE A CLAIM UPON WHICH RELIEF MAY BE GRANTED?
Answered in the AFFIRMATIVE by Defendant Fulton Bank.
D. WHETHER PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED BASED
UPON THE EXPIRATION OF THE STATUTE OF LIMITATIONS?
Answered in the AFFIRMATIVE by Defendant Fulton Bank.
E. WHETHER PLAINTIFF'S CLAIM SET FORTH ON PAGES 80 AND 81 OF
THE COMPLAINT SHOULD BE DISMISSED FOR LACK OF STANDING?
Answered in the AFFIRMATIVE by Defendant Fulton Bank.
111. ARGUMENT
A. PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED BECAUSE THE
COURT LACKS SUBJECT MATTER JURISDICTION IN THIS CASE.
To the extent that subject matter jurisdiction over Plaintiffs claims is based upon an
alleged diversity of citizenship pursuant to 28 U.S.C. $1332, the Complaint must be dismissed.
Section $1332 requires that complete diversity exist between the parties. Grand Union
Supermarkets of V.I.. Inc. v. H.E. Lockhart Management. Inc., 316 F.3d 408 (3d Cir. 2003)
(emphasis added). In other words, in order to invoke diversity of citizenship as a basis for
federal subject matter jurisdiction, a plaintiff must show that helshe does not share citizenship
with an^ of the defendants. Owen Equipment & Erection Co. v. Kroger, 437 U.S. 365,98 S.Ct.
2396, 57 L.Ed.2d 274 (1978); Grand Union, 316 F.3d at 410. Diversity jurisdiction exists only
when all plaintiffs are of different citizenship than all defendants. Stanley v. Exxon Corn., 824
F. Supp. 52 (E.D. Pa. 1993).
It is evident from the Complaint itself that complete diversity of citizenship between
Plaintiff and all of the Defendants does not exist here. In the instant case, Plaintiff is a citizen of
the Commonwealth of Pennsylvania. However, Defendant Fulton and at least co-defendants
Lancaster County Prison, Manheim Township Police Department, Commonwealth National
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Bank, i.e. Mellon Bank, and Lancaster County Sheriffs Department are also citizens of
Pennsylvania. In other words, Plaintiffs Complaint defeats, rather than establishes, federal
subject matter jurisdiction in this action based upon diversity of citizenship.
Since Plaintiff is a citizen of the same state as numerous Defendants, complete diversity
does not exist and this Court does not have subject matter jurisdiction over the instant claim
under 28 U.S.C. $ 1332. Accordingly, to the extent that subject matter jurisdiction over
Plaintiff's claims is dependent upon diversity of citizenship, the Complaint must be dismissed.
B. PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED FOR IMPROPER
SERVICE.
As set forth above, Plaintiffs Complaint in this matter was originally filed on or about
May 16,2005. Although Fulton received a copy of the Summons, Fulton was not served with a
copy of the Complaint as required by Rule 4(m) of the Federal Rules of Civil Procedure. Upon
information and belief, none of the other Defendants were sewed with the Complaint in
accordance with the 120 day time limit set forth in Fed.R.Civ.P. 4(m) either. Accordingly, on
January 5,2006, this Honorable court issued an Order directing Plaintiff to serve Defendants
with the Summons and Complaint on or before January 25,2006. On or about January 20,2006,
Fulton received copies of the Summons and Complaint by priority mail. For the reasons set forth
below, Plaintiffs attempted service upon Fulton in this manner is deficient under the Federal
Rules and the Pennsylvania Rules of Civil Procedure. Accordingly, dismissal of Plaintiffs
Complaint is warranted.
Service of process upon individuals within a judicial district of the United States is
governed by Fed.R.Civ.P. 4(e). Rule 4(e) of the Federal Rules states:
Unless otherwise provided by federal law, service upon an individual from whom
a waiver has not been obtained and filed, other than an infant or an incompetent
person, may be effected in any judicial district of the United States: (1) pursuant
to the law of the state in which the district court is located, or in which service is
effected, for the service of the summons upon the defendant in an action brought
in the courts of general jurisdiction of the State; or (2) by delivering a copy of the
summons and of the complaint to the individual personally or by leaving copies
thereof at the individual's dwelling house or usual place of abode with some
person of suitable age and discretion then residing therein or by delivering a copy
of the summons and of the complaint to an agent authorized by appointment or
law to receive service of process.
Pennsylvania Rule of Civil Procedure 402 governs the manner of service of original
process within the Commonwealth of Pennsylvania and provides that original process may be
served:
(1) by handing a copy to the defendant; or
(2) by handing a copy (i) at the residence of the defendant to an adult member of
the family with whom he resides; but if no adult member of the family is found,
then to an adult person in charge of such residence; or (ii) at the residence of the
defendant to the clerk or manager of the hotel, inn, apartment house, boarding
house or other place of lodging at which he resides; or (iii) at any ofice or usual
place of business of the defendant to his agent or to the person for the time being
in charge thereof.
-See P a.R.Civ.P. 402(a)(l) and (2). Thus, neither Federal Rule 4(e) nor Pennsylvania
Rule 402 authorizes service by mail upon a Pennsylvania defendant. Rather, it is clear from the
language of the above-cited rules that hand delivery is required pursuant to both the Federal
Rules and Pennsylvania law for a defendant who is located within the Commonwealth of
Pennsylvania.
In the instant case, Plaintiff served Fulton with the Summons and Complaint via priority
mail at its One Penn Square, Lancaster, Pennsylvania address. Mailing copies of the Summons
and Complaint is insufficient to effect service upon Fulton under Fed.R.Civ.P. 4(e) or Pa.
R.Civ.P. 402. Accordingly, proper service has not been made upon Fulton. Additionally, the
120 day time period for service of the original Complaint has long since expired. Although the
Court's Order of January 5,2006 granted Plaintiff additional time to serve the Summons and
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Complaint, the Court warned Plaintiff that failure to serve the documents by January 25,2006
1558383.15would result in dismissal. The requirement of proper service was implicit in the Court's
Order
granting Plaintiff such additional time. Since Plaintiff has not properly served Fulton and has not
made a showing of good cause for his failure to timely perfect service, See e.g. Barrett v. City of
Allentown, 152 F.R.D. 46,49 (E.D. Pa. 1993) (plaintiffs' pro se status or lack of knowledge of
procedural rules does not constitute good cause for failing to effect proper service), Plaintiffs
Complaint should be dismissed in its entirety.
C. PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED FOR FAILURE TO
STATE A CLAIM UPON WHICH RELIEF MAY BE GRANTED.
To assert a claim under federal law, a plaintiff is required to plead the facts supporting his
or her claim in a short and plain statement. Fed.R.Civ.P. 8(a)(2). To survive a motion to dismiss
for failure to state a claim, the plaintiff must allege sufficient specific facts giving rise to the
cause of action to put the defendant on notice of the essential elements of the plaintiffs cause of
actio ,n-. 785 F.2d 65 (3d Cir. 1985). When considering a motion to dismiss
pursuant to Federal Rule of Civil Procedure 12(b)(6), the court must accept all the factual
allegations as true and construe the complaint in the light most favorable to the plaintiff. Robb v.
Citv of Phila., 733 F.2d 286,291 (3d Cir. 1984). However, a court must dismiss the claims
against a defendant when it appears with certainty that the plaintiff can establish no set of facts
which would entitle the plaintiff to relief. Hishon v. Kina & Spalding, 467 U.S. 69,73 (1984);
Colbum v. Upper Darby Township, 838 F.2d 663 (3d Cir. 1988).
In the instant case, the Complaint filed by Plaintiff consists of eighty-seven (87) pages of
single-spaced text. In those 87 pages, Fulton is only mentioned on Pages 55,56,80,81 and 86.
On Pages 55 and 56 of the Complaint, Plaintiff alleges that on August 2, 1990, Fulton
"embezzled $5,000 from the checking account of Stan Caterbone due to an error by Fulton
1558383.1
Bank's accounting" and "refused to credit the account for more than 60 days, without crediting
the lost interest income." On Pages 80 and 81, Plaintiff alleges that in 1996, his brother, Tom
Caterbone, presented a check for deposit to Fulton on at least three (3) occasions and that Fulton
refused to deposit the check on each occasion because there were insufficient funds in the
account from which the check was to be drawn. On Page 86, Plaintiff merely alleges that Fulton
is a limited partner in Penn Square Partners. Plaintiff makes no other allegations against Fulton
in his Complaint.
In its present form, the Complaint contains only vague assertions of "fact" and does not
identify any clear legal theory under which Plaintiff seeks relief. Based on the foregoing
allegations, it is difficult to even speculate as to what claims Plaintiff is attempting to assert
against Fulton in the Complaint. To the extent, however, that Plaintiffs allegations against
Fulton on Pages 55 and 56 of the Complaint are an attempt to set forth a claim for unjust
enrichment, this claim must fail.
Unjust enrichment is a quasi-contractual doctrine based in equity. Wiemik v. PHH U.S.
Mortgage Corp., 736 A.2d 616,622 (Pa. Super. 1999), appeal denied, 561 Pa. 700,751 A.2d 193
(2000). Where unjust enrichment is found, the law implies a contract which requires the
defendant to pay to the plaintiff the value of the benefit conferred. Schenck v. K.E. David. Ltd.,
446 Pa. Super. 94,666 A.2d 327 (1995), appeal denied, 544 Pa. 660,676 A.2d 1200 (1996).
The elements necessary to prove unjust enrichment are: (1) benefits conferred on a defendant by
plaintiff; (2) appreciation of such benefits by defendant; and (3) acceptance and retention of the
benefit without payment of value. Wiernik, 736 A.2d at 622. Applying these elements to the
allegations made by Plaintiff on Pages 55 and 56, it is clear that Plaintiff has failed to adequately plead
a claim of unjust enrichment. Nowhere in the Complaint does Plaintiff allege that Fulton appreciated
or recognized the benefit of the allegedly "embezzled" $5,000; rather, the Complaint makes clear that
the "embezzlement" by Fulton was the result of an accounting error of which Fulton was not aware,
not an intentional act by Fulton.
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Nor does Plaintiff allege that Fulton accepted or retained any benefit without payment of value
to him. To the contrary, it is clear from Plaintiffs Complaint that Fulton corrected the error and
credited the $5,000 back to Mr. Caterbone's account. Accordingly, Plaintiff has suffered no loss
and Fulton has gained no benefit as a result of the alleged accounting error.
Even accepting the above-referenced allegations of Plaintiffs Complaint as true, the
Complaint fails to state a valid claim for unjust enrichment. Accordingly, dismissal of the cause
of action set forth on Pages 55 and 56 of Plaintiffs Complaint for failure to state a claim upon
which relief may be granted is warranted and appropriate.
Like his allegations on Pages 55 and 56, the specific claim being advanced by Plaintiff on
Pages 80 and 81 of the Complaint is also unclcar. Plaintiff alleges that in 1996, his brother, Tom
Caterbone, presented a check for deposit to Fulton on several occasions and Fulton refused to
deposit the check because there were insufficient funds in the account from which the check was
to be drawn. Plaintiff provides no M e r support for this claim. Without further elaboration of
Plaintiffs claim, Fulton is again left to speculate as to what cause of action Plaintiff is
attempting to assert. Based on the allegations made on Pages 80 and 81 of the Complaint, it is
believed that Plaintiff may be trying to set forth a claim for common law fraud. However, the
allegations set forth on Pages 80 and 81 fail to properly state such a claim against Fulton.
Rule 9(b) of the Federal Rules of Civil procedure provide that "[iln all averments of fraud
or mistake, the circumstances constituting fraud or mistake shall be stated with particularity."
See Fed.R.Civ.P. 9(b). The United States Court of Appeals for the Third Circuit has held that
Rule 9(b) requires plaintiffs to plead with particularity the "circumstances" of the alleged fraud
in order to place the defendants on notice of the precise misconduct with which they are charged,
and to safeguard defendants against spurious charges of immoral or fraudulent behavior. &dk
Indus. Mach. Com. v. Southmost Mach. Corn., 742 F.2d 786,791 (3d Cir. 1984), cert. denied,
469 U.S. 121 1 (1985). The rule is satisfied where some precision and some measure of
substantiation is present in the pleadings. Killian v. McCulloch, 850 F.Supp. 1239, 1254
(E.D.Pa. 1994).
The elements of common law fraud are: (1) a representation made by the defendant; (2)
which is material to the transaction at hand; (3) made falsely, with knowledge of its falsity or
recklessness as to whether it was true or false; (4) with the intent of misleading another into
relying on it; (5) justitiable reliance on the misrepresentation; and (6) damage to the plaintiff as a
result of such reliance. Gibbs v. Ernst, 538 Pa. 193,207, 647 A.2d 882, 889 (1994). As
demonstrated below, Plaintiff has failed to plead all of the necessary elements of common law
fraud with suf?icient specificity to support such a claim.
Even accepting Plaintiffs allegations as true, it is clear from the Complaint that Fulton
made no representations, false or otherwise, to Plaintiff regarding the check at issue. Rather, by
Plaintiffs own admission, the check referenced on Pages 80 and 81 of the Complaint was made
payable to and was presented to Fulton by Plaintiffs brother, Tom Caterbone, not Plaintiff. Nor
has Plaintiff pled any justifiable reliance by him on the alleged representations made by Fulton
regarding the refusal to deposit the check. Again, the Complaint demonstrates on its face that it
was Plaintiffs brother who presented the check to Fulton and was told that it could not be
deposited because there were insufficient funds in the account fiom which the check was to be
drawn. Finally, Plaintiff has not alleged, and cannot prove, any resulting damage or injury to
him caused by his reliance on Fulton's alleged representations. Accordingly, dismissal of the
cause of action set forth on Pages 80 and 81 of Plaintiffs Complaint is appropriate for failure to
state a claim upon which relief may be granted.
Finally, Plaintiffs allegation that Fulton is a limited partner in Penn Square Partners,
without more, is insufficient to state a claim against Fulton upon which relief may be granted.
Accordingly, dismissal of Plaintiffs Complaint in its entirety is warranted and appropriate.
D. PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED BASED UPON THE
EXPIRATION OF THE STATUTE OF LIMITATIONS.
The statute of limitations is typically raised as an affirmative defense in a responsive
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pleading under Fed.R.Civ.P. 8(c). However, where it appears fiom the face of the pleading that
the complaint is time-barred, a motion to dismiss for failure to state a claim is proper. Oshiver v.
Levin, Fishbein, Sedran & Berman, 38 F.3d 1380, 1384-85 (3d Cir. 1994), on remand, 910 F.
Supp. 225. See also Sabo v. Parisi, 583 F. Supp. 1468 (E.D. Pa. 1984). Therefore, in addition to
the above-cited reasons, Plaintiffs Complaint should also be dismissed pursuant to Fed.R.Civ.P.
12(b)(6) because the Complaint demonstrates, on its face, that the statute of limitations on
Plaintiffs claims against Fulton has expired.
The facts as pled in the Complaint on Pages 55-56 and 80-81 clearly demonstrate that
Plaintiffs claims date back to 1990 and 1996, respectively. It is also apparent from the
Complaint that Plaintiff was aware of the facts giving rise to his asserted claims at the time of
1558383.110their occurrence, i.e. in 1990 and 1996. It is well settled that a four-year statute of
limitations
governs claims for unjust enrichment, Cole v. Lawrence, 701 A.2d 987,989 (Pa. Super. 1997),
uppeal denied, 555 Pa. 738,725 A.2d 1217 (1998) (unjust enrichment claim action is subject to a
four-year statute of limitations, as it constitutes a contract implied-in-law) while the statute of
limitations for common law fraud is two-years. Calle v. York Hospital, 232 F.Supp.2d 353,35960 (M.D.Pa. 2002); Fine v. Checcio, 870 A.2d 850,857 (Pa. 2005) (statute of limitations for
common law fraud is two-years and begins to run from the moment the right to bring an action
arises, regardless of lack of knowledge, mistake or misunderstanding).
It is evident from the face of the Complaint that the events in question occurred anywhere
from 10 to 15 years ago, not within the four or two-year limitation period allowed for Plaintiffs
unjust enrichment and fraud claims.' Since the statute of limitations on Plaintiffs claims has
expired, Plaintiff's claims are time-barred and the Complaint should be dismissed, with
prejudice, for failure to state a claim upon which relief may be granted.
E. PLAINTIFF'S CLAIM SET FORTH ON PAGES 80 AND 81 OF THE
COMPLAINT SHOULD BE DISMISSED FOR LACK OF STANDING.
Standing is a threshold question in every federal case, determining the power of the court
to entertain the suit. Warth v. Seldin, 422 U.S. 490,498,95 S.Ct. 2197,2205 (1975). In order to
establish standing in a federal court "[a] plaintiff must allege personal injury fairly traceable to
' Even if this Court finds that Plaintiffs allegations attempt to set forth causes of action other than
unjust
enrichment andor common law fraud, Fulton submits that Plaintiffs claims are still barred by the
statute
of limitations. See In re Mushroom Transv. Co.. lnc., 382 F.3d 325,336 (3d Cir. 2004) (two-year
statute of limitations govems breach of fiduciary duty claims); Calihan v. A.E.V.. Inc., 182 F.3d
237,246
n.7 (3d Cir. 1999) (two-year statute of limitations governs civil conspiracy claims); Santana Products,
Inc.
v. Bobrick Washroom Eauip., Inc., 401 F.3d 123, 138-39 (3d Cir. 2005), cerf. denied, 126 S.Ct. 734
(2005) (a claim brought under Pennsylvania's Unfair Trade Practices and Consumer Protection Law is
subject to a six-year statute of limitations).
the defendant's allegedly unlawful conduct and likely to be redressed by the requested relief."
Allen v. Wright, 468 U.S. 737, 750, 104 S.Ct. 3315 (1984). In the area of standing, the United
States Supreme Court "has consistently stressed that a plaintiffs complaint must establish that he
has a 'personal stake' in the alleged dispute, [and] that the alleged injury suffered is
particularized as to him." Raines v. Byrd, 521 U.S. 81 1, 819, 117 S.Ct. 2312 (1997). It is also
well established that an "abstract injury" or "generalized grievance" is insufficient to meet the
requisite standing requirements. Streater v. U.S. Devt. of trans^., No. 95-2162, 1996 WL
134807 at *4 (E.D.Pa. March 25,1996). Additionally, the party who seeks the exercise of
jurisdiction in his favor has the burden of clearly alleging facts demonstrating that he is a proper
party to invoke judicial resolution of the dispute. FWtPBS, Inc. v. Citv of Dallas, 493 U.S. 215,
231, 110 S.Ct. 596,608 (1990).
In the instant case, Plaintiff has not alleged that he has suffered any particularized
personal injury in relation to the claim set forth on Pages 80 and 81 of the Complaint. In
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essence, through his allegations, Plaintiff simply voices his disapproval over Fulton's handling of
the check presented by his brother. This "generalized grievance" is insufficient to establish
standing in this Court. Plaintiff also has failed to establish that he is the proper party to bring an
action on behalf of his deceased brother. Plaintiff is not the Executor of the Estate of Tom
Caterbone. Rather, Plaintiffs other brother, Steven Caterbone, was appointed the personal
representative of the Estate. Additionally, Plaintiff has brought the claim in his own name and
not on behalf of his brother. Since Plaintiff has failed to allege or demonstrate any personal
stake or particularized injury related to the allegations on Pages 80 and 81 of the Complaint that
would give him standing, this claim should be dismissed pursuant to Rule 12(b)(l).
IV. CONCLUSION
Based on the above cited authorities and reasoning, Defendant Fulton Bank respectfully
requests that this Honorable Court grant its Motion and dismiss Plaintiffs Complaint in its
entirety with prejudice.
BARLEY SNYDER, LLC
Dated: February 9,2006 By: /sl Stephanie Carflev
Stephanie Carfley, Esquire
Attorneys for Defendant Fulton Bank
126 East King Street .
Lancaster, PA 17602-2893
(717) 299-5201

CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing Brief in Support of Motion to
Dismiss has been served this 9th day of Februaw ,2006, by first class mail, postage prepaid, upon:
Stanley Caterbone
220 Stone Hill Road
Conestoga, PA 175 16
Lancaster County Prison
625 East King Street
Lancaster, PA 17602-3 199
Stone Harbor Police Department Avalon Police Department
9508 Second Avenue 3088 Dune Drive
Stone Harbor, NJ 08247 Avalon, NJ 08202
George M. Gowen, 111, Esquire Lancaster County Sheriff's Department
Cozen O'Connor 50 North Duke Street
1900 Market Street P.O. Box 83480
Philadelphia, PA 191 03 Lancaster, PA 17608-3480
Christopher S. Underhill, Esquire
Hartman, Underhill & Brubaker, LLP
221 East Chestnut Street
Lancaster, PA 17602
The foregoing document has also been filed electronically and is available for viewing
and downloading on the ECF system.
BARLEY SNYDER LLC
By: Is/ Stephanie Carfley
Stephanie Carfley, Esquire
Advanced Media Group

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February 09, 2006 Continued


Thursday
Attorneys for Defendant Fulton Bank
126 East King Street
Lancaster, PA 17602-2893
(717) 299-5201
Court I.D. No. 79136

126 East King Street


Lancaster, PA 17602-2893
Te1717.299.5201 Fax 717.291.4660
www.barley.com
Stephanie Carney. Esquire
Direct Dial Number: 7 17.399.1536
E-mail: scarflcy@harley.com
February 9,2006
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 175 16
Re: Stanley J. Caterbone v. Fulton Bank, et al.
Dear Mr. Caterbone:
Enclosed please find a copy of a Praecipe to Enter Appearance, Motion to Dismiss
Plaintiffs Complaint and Brief in Support thereof, the originals of which have been
electronically filed this date.
Very truly yours,
SCIkat: 1559986.1
Enclosures
cc: George M. Gowen, 111, Esquire
Christopher S. Underhill, Esquire
Lancaster County Prison
Stone Harbor Police Department
Avalon Police Department
Lancaster County Sheriffs Department

Lancaster . York Harrisburg. Reading. Benvyn Hannver Chambersburg

/ Other Documents
2:05-cv-02288-MAM CATERBONE v. LANCASTER COUNTY PRISON et al

United States District Court


Eastern District of Pennsylvania
Notice of Electronic Filing
The following transaction was received from CARFLEY, STEPHANIE entered on 2/9/2006 at 1 :47
PM EST and filed on 2/9/2006
Advanced Media Group

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February 09, 2006 Continued


Thursday
Case Name: CATERBONE v. LANCASTER COUNTY PRISON et al
Case Number: 2:05-cv-2288
Filer: FULTON BANK
Document Number: 16
Docket Text:
Praecipe to Enter Appearance by FULTON BANK. (CARFLEY, STEPHANIE)
The following document(s) are associated with this transaction:
Document description:Main Document
Original filename:n/a
Electronic document Stamp:
lSTAMP dcecfStamv ID=1001600548 IDate=2/9/20061 IFileNumber-1881532-01
2:05-cv-2288 Notice will be electronically mailed to:
STEPHANIE CARFLEY scarfley@barley.com, kgarner@barley.com; tranck@barley.com;
eastemdistrict@barley.com GEORGE M. GOWEN, 111 ggowen@cozen.com CHRISTOPHER S.
UNDERHILL chrisu@hublaw.com,
2:05-cv-2288 Notice will be delivered by other means to:
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff
LANCASTER COUNTY PRISON, MANHEIM :
TOWNSHIP POLICE DEPARTMENT, STONE :
HARBOR POLICE DEPARTMENT, AVALON : JURY TRIAL DEMANDED
POLICE DEPARTMENT, COMMONWEALTH :
NATIONAL BANK (i.e. MELLON BANK),
SOUTHERN REGIONAL POLICE
DEPARTMENT, LANCASTER COUNTY
SHERIFFS DEPARTMENT, FULTON BANK :
Defendant

PRAECIPE TO ENTER APPEARANCE


Kindly enter the appearance of Stephanie Carfley, Esquire of Barley Snyder LLC on behalf of Fulton
Bank in the above matter. Please serve all papers at 126 East King Street, Lancaster, PA 17602.

BARLEY SNYDER, LLC


Dated: February 9,2006 By: Is/ Stephanie Carflev
Stephanie Carfley, Esquire
Attorneys for Defendant Fulton Bank
126 East King Street
Lancaster, PA 17602-2893
Advanced Media Group

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February 09, 2006 Continued


Thursday
(717) 299-5201
Court I.D. No. 79136

CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing Praecipe to Enter Appearance has
been sewed this 9th day of February, 2006, by first class mail, postage prepaid, upon:
Stanley Caterbone
220 Stone Hill Road
Conestoga, PA 1751 6
Lancaster County Prison
625 East King Street
Lancaster. PA 17602-3 199
Stone Harbor Police Department Avalon Police Department
9508 Second Avenue 3088 Dune Drive
Stone Harbor, NJ 08247 Avalon, NJ 08202
George M. Gowen, 111, Esquire Lancaster County Sheriffs Department
Cozen O'Connor 50 North Duke Street
1900 Market Street P.O. Box 83480
Philadelphia, PA 191 03 Lancaster, PA 17608-3480
Christopher S. Underhill, Esquire
Hartman, Underhill & Brubaker, LLP
22 1 East Chestnut Street
Lancaster, PA 17602
The foregoing document has also been filed electronically and is available for viewing
and downloading on the ECF system.
BARLEY SNYDER LLC
By: /s/ Stephanie Carfley
Stephanie Carfley, Esquire
Attorneys for Defendant Fulton Bank
126 East King Street
Lancaster, PA 17602-2893
(717) 299-5201
Court I.D. No. 79136

February 10, 2006


Friday
7:30 AM - 9:30 AM

Chamber Annual Business Mtg -- Willow Valley Resort

8:00 AM - 8:00 AM

Drew Anthon Motion Due

Richard S. Solove, Esquire


McNEES WALLACE & NURICK LLC
180 Good Drive
Lancaster, PA 17603
(717) 291-1177
Advanced Media Group

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February 10, 2006 Continued


Friday
Attorney I.D. #I7717
Attorney for Defendants
IN THE COURT OF COMMON PLEAS OF LANCASTER COUNTY, PENNSYLVANIA
CIVIL ACTION
PROJECT HOPE/ADVANCED
MEDIA GROUP
220 Stone Hill Road
Conestoga, PA 1751 6
Plaintiff
Civil Action Law
DREW ANTHON, EDEN RESORT INN j
AND CONFERENCE
222 Eden Road
Lancaster, PA 17601
Case No.CI-05-03644
PRELIMINARY OBJECTIONS OF DEFENDANTS
Defendants, by and through their attorney, Richard S. Solove, hereby files
Preliminary Objections to the Complaint on the following grounds:
1. Plaintiff's complaint fails to allege facts sufficient to establish a cause of action.
2. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1018 (b), in that the Complaint is not properly captioned.
NO. 05-03644
3. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1018.1, in that the Complaint does not contain a Notice to
Defend.
4. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1019 (a), in that the material facts were not stated in a concise
and summary form.
5. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1021, in that the Complaint does not specify the relief sought,
and does not state whether the amount claimed does or does not exceed the
jurisdictional amount requiring arbitration or referral by local rule.
6. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1024, in that the Complaint is not verified.
7. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1022, in that the Plaintiff's Complaint is not divided into
consecutively numbered paragraphs.
WHEREFORE, Defendants respectfully request that Plaintiff's Complaint be dismissed.
Respectfully submitted,
WNees Wallace & Nurick LLC
RICHARD S. SOLOYE
Attorney I/D No. 1771 7
180 Good Drive
Lancaster, Pennsylvania 17603
(71 7) 291 -1 177
Attorneys for Defendants
CERTIFICATE OF SERVICE
I hereby certify that I am this day serving a copy of the foregoing docurnent(s)
upon the person(s) and in the manner indicated below:
SERVICE BY FIRST CLASS MAIL ADDRESSED AS FOLLOWS:
Advanced Media Group

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February 10, 2006 Continued


Friday
Stanley Caterbone
Project Hopel Advanced Media Group
220 Stone Hill Road
Conestoga, PA 1751 6
S. SOLOVE
Attorney I/D No. 17717
Attorney for Defendants
Dated: 1/23/2006

1:00 PM - 1:30 PM

Comcast Cable -- South Duke Street, Lancaster, PA

Took back digital box for replacement, gave colored woman bankruptcy papers for her
superior, was again going to turn off cable.
1:30 PM - 2:00 PM

Drew Anthlon Notice of Items feb 10 2006 -- Lancaster County Courthouse, Lancaster, PA 17603

IN THE COURT OF COMMON PLEAS LANCASTER COUNTY,


PENNSYLVANIA
CIVIL DIVISION

PROJECT HOPE
ADVANCED MEDIA GROUP
220 Stone Hill Road
Conestoga, PA 17516
Plaintiff

Case No. CI-05-03644

DREW ANTHON,
(MA)EDEN RESORT INN
222 Eden Road
Lancaster, PA 17601
Defendant
NOTICE
ITEMS FOR CLAIM
Plaintiff files the following ITEMS FOR CLAIM.
1.

Plaintiff filed the civil action in good faith and did suffer substantial stress related
health problems that
that were triggered when the Plaintiff read the Lancaster
Newspapers Intelligencer article regarding the same (Tea Party) as well as
business financial losses.

2.

Medical Expenses from Lower Back Pain Due To Stress Excelsior Place Business Plan Fees $7,000.00
UPS Store Lost Opportunity -

$5,184.00

SUB TOTAL

$10,000.00
___________
$22,118.00

ATTORNEY FEES AND ADMINISTRATION -

2,000.00

TOTAL -

$24,118.00

I hereby certify that appropriate Notices Items For Claim has been mailed in accordance with
PA R.C.P. 237.1 on the dales indicated on the Notices.
Advanced Media Group

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February 10, 2006 Continued


Friday
STAN J. CATERBONE
PROJECT HOPE
ADVANCED MEDIA GROUP
By:______________________________
STAN J. CATERBONE, Pro Se
DREW ANTHON,
(MA)EDEN RESORT INN
Plaintiffs address is:
Stan J. Caterbone, 220 Stone Hill Road, Conestoga, PA 17516 And that the last know11 address of
the Defendant is: 222 Eden Road, Lancaster, PA 17601

IN THE COURT OF COMMON PLEAS LANCASTER COUNTY,


PENNSYLVANIA
CIVIL DIVISION

PROJECT HOPE
ADVANCED MEDIA GROUP
Plaintiff

Case No. CI-05-03644

DREW ANTHON,
(MA)EDEN RESORT INN
Defendant
NOTICE OF JUDGMENT OR ORDER

TO:

( ) Plaintiff
(XX) Defendant
( )Garnishee
You are hereby notified that the following
Order or Judgment was entered against you
On January 20, 2006
(XX)

Assumpsit Judgment in the amount


of $11,000 plus costs.

( )

Trespass Judgment in the amount


of $_________ plus costs.

( )
If not satisfied within sixty (60)
days, your motor vehicle operator'$ license and/or registration
will be suspended by the Department of Transportation, Bureau
of Traffic Safety, Harrisburg, PA
(XX) Entry of Judgment of
( ) Court Order
( ) Non-Pros
( ) Confession
(xx) Default
( ) Verdict
( ) Arbitration
Advanced Media Group

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February 10, 2006 Continued


Friday
Prothonotary
By: ______________________________
PROTHONOTARY (OR DEPUTY)
DREW ANTHON,
(MA)EDEN RESORT INN
222 Eden Road, Lancaster, PA 17601
Plaintiffs address is:
Stan J. Caterbone, 220 Stone Hill Road, Conestoga, PA 17516 717-799-5915
IN THE COURT OF COMMON PLEAS LANCASTER COUNTY, PENNSYLVANIA
CIVIL DIVISION
PROJECT HOPE
ADVANCED MEDIA GROUP
Plaintiff

Case No. CI-05-03644

DREW ANTHON,
(MA)EDEN RESORT INN
Defendant
IMPORTANT NOTICE
TO:

DREW ANTHON,
(MA)EDEN RESORT INN
222 Eden Road, Lancaster, PA 17601

Date of Notice: January 20, 2006


YOU ARE IN DEFAULT BECAUSE YOU HAVE FAILED TO ENTER A WRITTEN
APPEARANCE PERSONALLY OR BY ATTORNEY AND FILE IN WRITING WITH THE COURT
YOUR DEFENSES OR OBJECTIONS TO THE CLAIMS SET FORTH AGAINST YOU UNLESS
YOU ACT WITHIN TEN DAYS FROM THE DATE OF THIS NOTICE, A JUDGMENT MAY BE
ENTERED AGAINST YOU WITHOUT A HEARING AND YOU MAY LOSE YOUR PROPERTY
OR OTHER IMPORTANT RIGHTS. YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT
ONCE. IF YOU DO NOT HAVE A LAWYER, GO TO OR TELEPHONE THE FOLLOWING
OFFICE SET FORTH BELOW. THIS OFFICE CAN PROVIDE YOU WITH INFORMATION
ABOUT HIRING A LAWYER. IF YOU CANNOT AFFORD TO HIRE A LAWYER, THIS OFFICE
MAY BE ABLE TI PROVIDE YOU WITH INFORMATION ABOUT AGENCIES THAT MAY
OFFER LEGAL SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE.
LANCASTER COUNTY COURT ADMINISTRATOR'S OFFICE
50 NORTH DUKE STREET
P.O. BOX 3480
LANCASTER, PA 17602
(717) 299-8041
BY: _______________________________
STAN J. CATERBONE
Advanced Media Group

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Friday
PROJECT HOPE/ADVANCED MEDIA GROUP
220 Stone Hill Road
Conestoga, PA 17516
717-799-5915

make the following civil complaint against the defendant, Drew Anthon and Eden Resort Inn and
Conference Center:
Plaintiff alleges Drew Anthon and the Eden Resort Inn and Conference Center has colluded to
sabotage the Downtown Lancaster Convention Center project by organizing a formal request and
soliciting support to certain Lancaster County Hoteliers to voluntarily withhold the payment of the
Lancaster County Hotel Room Tax, thereby placing the financial interests of the Business Plan for
the Excelsior Property of East King Street and the Rights to develop a UPS Store in or around the
Downtown Lancaster Convention Center at extreme risk.
Plaintiff will argue that such financial risk is causing mental stress and duress, that otherwise would
not be present, had the defendant not engaged the above-mentioned activities.

Plaintiff seeks the Commonwealth of Pennsylvania to place a sees and desist order against the
defendants actions to withhold the Hotel tax until the defendants can prove to the Commonwealth the
said actions are in the best interests of the Plaintiffs interests and those of all major stakeholders of the
proposed Downtown Lancaster Convention Center, including the School District of Lancaster, the City
of Lancaster, the County of Lancaster, Penn Square Partners, as well as others. Thus the defendants
must prove that the Downtown Lancaster Convention Center will fail.
Plaintiff submits the following exhibits for considerations of the Courts:
?? The major pages of the website of Advanced Media Group
?? The Excelsior Place Business Plan
?? The Agreement Between Art Ward, Owner of the UPS Store and Stan Caterbone

Plaintiff seeks a jury trial with damages in excess of $10,000.

Stan J. Caterbone/Project Hope/Advanced Media Group


Dated: April 26, 2005

February 11, 2006


Saturday
All Day

Jenifer A's Birthday

All Day

Sheryl's Birthday

Advanced Media Group

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February 11, 2006 Continued


Saturday
1:00 PM - 1:00 PM

PA Housing NOTICE OF DECISION OF HEARING EXAMINER -- 2 1 1 N. Front Street P.O. Box 15628

PENNSYLVANIA HOUSING FINANCE AGENCY


Homeowners' Emergency Mortgage Assistance Loan Program
2 1 1 N. Front Street
P.O. Box 15628
Harrisburg, Pennsylvania 17105-1 5628
(717) 780-3957
TDD# For Hearing Impaired (717) 780-1869
February 9,2006
Stan J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
RE: NOTICE OF DECISION OF HEARING EXAMINER
Dear Mr. Caterbone:
On December 12, 2005 the Pennsylvania Housing Finance Agency issued a Notice of
Adverse Action and a denial of your request for a mortgage assistance loan pursuant to the
provisions of Act 91 of 1983. On December 15, 2005 the Agency was in receipt of your
request
for an appeal from its decision and an opportunity for a hearing to contest the Agency's denial
of a
mortgage assistance loan.
A hearing was held on January 18, 2006 at which time you had an opportunity to discuss
your situation before a Hearing Examiner. The Hearing Examiner's decision is as follows:
The Appellant's application for an emergency mortgage assistance loan was initially denied
on the following grounds:
1. No reasonable prospect of applicant resuming full mortgage payments within
twenty-four (24) months and paying mortgage(s) by maturity based on:
Applicant's income has been insufficient to maintain mortgage for the past two
(2) years. Total monthly expenses: $3268. 2002 net monthly income: loss.
2003: $0, 2004: extension. (Act 91, Section 404-C(A)).
2. No reasonable prospect of applicant resuming full mortgage payments within
twenty-four (24) months and paying mortgage@) by maturity based on:
Applicant is financially overextended based upon income history. (Act 91,
Section 404-C(A)).
3. Property securing mortgage is not a one- or two-family owner-occupied
residence based on: The secured property is used primarily for commercial or
business purposes. Per applicant, 65% of secured property is used for
business.
4. Applicant is not suffering financial hardship due to circumstances beyond
applicant's control based on: Applicant has asset(s) which could have been
liquidated to cure delinquency - Per applicant, has stocks andlor bonds in
business valued at $4 million. (Act 91, Section 404-C(A)).
During the course of the appeal hearing, the following facts were established:
The applicant provided the following statement with respect to the cause of the mortgage
delinquency: "These circumstances came about when I met with officials from International
Signal & Control, plc., in 1987 and became involved with agencies providing the United
States of America associated with the highest level of Intelligence and National Security. I
was called upon by ISC to help to provide financial assistance for portions of thier [sic]
operations. I immediately became
suspect of these circumstances following my meeting of June 23, 1987; and alerted various
officials of local, state, and federal authorities. It was these allegations that resulted in a
Advanced Media Group

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February 11, 2006 Continued


Saturday
'Billion Dollar Fraud' that was successfully prosecuted by the United State Attorney General
and the Federal Bureus [sic] of Investigation in 1990. This [sic] circumstances have been
before now, a dire problem within the scope and bounds of our National Security. These
circumstances are now
able to be adjucated within the Court of Law under the provisions and doctrines of the
Constitution
of the United States of America. During these activities, certain agencies of the intelligence
community, began extracting information on present and future issues concerning the current
state
of affairs of the United States of America."
In the appeal letter dated December 14, 2005 the homeowner made the following
statements: "My income history is the very reason that I filed Sealed Civil Complaint Case
No.
052288 in the U.S. District Courts for the Eastern District of Pennsylvania, and the reason for
filing
the Chapter 11 Bankruptcy Case No. 05-23059 United State Bankruptcy Court Easter [sic]
District
of Pennsylvania. Both cases will prove a preponderance of evidence that my current ability to
produce income is due to illegal and criminal activities that are an attempt to accomplish just
that:
deny me profits and income from my various business activities. This can be further
demonstrated
with the recent filings of Internet Fraud with the ICC unit of the Federal Bureau of
lnvestigation,
which you have already received."
During the appeal hearing Stan Caterbone testified that his ability to generate an income
has been impeded by illegal and fraudulent activities directed against him since 1987.
The homeowner testified that all legal activities are fully engaged to resolve the
delinquency-causing circumstances and to reinstate his financial earning capacity. Since
1998
Stan Caterbone has been self-employed in the Advance Media Group.
Federal income tax returns on record reflect the following income history:
Average Net
Year Total Annual Income Monthlv
Income
2002
$ 4,922
loss $ 0
2003
0
0
The homeowner indicated that he experienced a deficit or loss of income in 2004 and 2005
other than two judgments in 2005.
The homeowner was awarded a $4,000 judgment around May 2005. In 2005 the
homeowner was awarded a default judgment of $1 1,000 and needs to file the default
judgment.
In May 1995 Stan Caterbone executed a mortgage for consideration of $103,000. The
mortgage held by Fulton Bank stipulates a 30-year term and an $874 monthly payment. The
mortgage is delinquent from June I, 2005 through January 1, 2006.
The homeowner has saved $0 to apply toward the delinquency.
The total monthly housing expense of $1,094 reflects the following:
Subiect
Mortgage payment
Utilities
TOTAL
Monthly
Advanced Media Group

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February 11, 2006 Continued


Saturday
Expenditure
The monthly installment debt of $1,289 on the application reflects the following:
Subject
Citibank
Bank of America
Discover
Bank of America 2
Chase Bank
AAA Financial
Beneficial
Medical
Dental
Legal
Honda Financial
TOTAL
Monthly
Expenditure
Unpaid
Balance
In view of the inwrne history and unpaid balances of the credit card debt, it appears that
the homeowner has been financing living expenses through credit card advances.
The monthly living expenses of $885 reflect the following:
Subiect
Food
Home Phone
Cell Phone
GaslCar Repairs
Bus/Parking/Tolls
Clothing
TV Service
Home Maintenance
Auto Insurance
Entertainment
ClubslMagazineslGifts
Internet
TOTAL
Monthly
Expenditure
$ 150
50
100
125
10
25
100
50
75
100
25
75
$ 885
The total monthly expenses of $3,268 reflect the following:
Subiect
Total Monthly Housing Expense
Monthly Installment Debt
Monthly Living Expenses
TOTAL
Monthly
Ex~enditure
Advanced Media Group

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February 11, 2006 Continued


Saturday
The homeowner indicated that 15% of the property is used exclusively for business
purposes.
The foregoing findings of fact exhibit that the total monthly expenses exceed the average
monthly net effective income on record since 2002. The homeowner therefore has been
generating insufficient income to support this level of mortgage expense since 2002.
It appears that the homeowner was maintaining the mortgage through credit card advances
until the mortgage default. In light of the income history and current income the homeowner's
ability to generate sufficient income to support the subject mortgage and total monthly
expenses 1s a speculative matter. Additionally, the impact that the pending lawsuit will have
on the homeowner's earning capacity is also uncertain. In view of the record there is no
reasonable prospect of mortgagor resuming full mortgage payments within twenty-four (24)
months and paying the mortgage by maturity.
It is hereby ordered that the Pennsylvania Housing Finance Agency, Homeowners'
Emergency Mortgage Assistance Program's decision of December 12, 2005 is affirmed and
the mortgage assistance loan is denied.
Very truly yours,
Michael Cooper
Hearing Examiner
cc: file/rpk
decision file

3:00 PM - 4:30 PM

Former U.S. Deputy Attorney General Eric H. Holder Jr. -- Coretta Scott King at Bright Side Baptist
Church, 515 Hershey Ave.

A former top attorney in the U.S. Department of Justice who served during three presidential
administrations will visit Lancaster this weekend for a series of public presentations.
Former U.S. Deputy Attorney General Eric H. Holder Jr. will participate in local events
commemorating Black History Month.
At 3 p.m. Saturday, Holder will be the keynote speaker at a program honoring the late Coretta
Scott King at Bright Side Baptist Church, 515 Hershey Ave. Holder's topic will be
"Remembering Mrs. King: New Thoughts for the Future of African- American History in
American Culture." The event is sponsored by Crispus Attucks Community Center and
Lancaster NAACP, supported by St. James Episcopal Church and Bright Side Baptist Church.
Celebrated soprano and faculty member of the Pennsylvania Academy of Music, Amy
Yovanovich, will be among the performers for the program.
At 9 a.m. next Sunday, Holder will be a guest lecturer at St. James Episcopal Church, 119 N.
Duke St. A question-and-answer-session will follow his address: "The Racial/Moral Inclusion:
The Current Constitutional Debate." The program will be held at St. James Parish House.
Holder is a partner at the law firm of Covington & Burling.
Early in his career at the Department of Justice, he was assigned to the newly formed Public
Integrity Section. He served as an associate judge of the Superior Court of the District of
Columbia; he was nominated by President Ronald Reagan. He was the U.S. Attorney General
for the District of Columbia, nominated by President Bill Clinton. Holder served as deputy
attorney general from 1997 until the inauguration of President George W. Bush, and briefly
served under Bush as acting attorney general pending the confirmation of Attorney General
John Ashcroft.
For more information, call the church, 397-4858, or Cheryl D. Holland-Jones at Crispus
Attucks Community Center, 295-7801.
Advanced Media Group

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9/25/2006 10:03 AM

February 11, 2006 Continued


Saturday

February 12, 2006


Sunday
8:00 AM - 8:30 AM

Joe Roda & Diane Nast email feb 12 2006

Dear Joe and Diane:


These are the documents I currently have filed in Federal courts. I just saw you were back to
work, so I thought I should share these with you. Please understand that the quotation of my
statement to the Pennsylvania Housing Agency is not accurate. I tried to request a tape or
transcript before this notice. This quote was fabricated.
Glad to see you both back to work, and hope everything is going well.
Any questions give me a call.
Stan
Advanced Media Group
Stan Caterbone
www.amgglobalentertainmentgroup.com
amgroup01@msn.com
Fax: 717-427-1621
9:00 AM - 9:30 AM

Robert Platkin email may 13 2005

1 of 2 2/12/2006 8:47 AM
Cached messages Message 1 of 1 in conversation
Re: Do you know my cousin, Diane Nast?
From: Plotkin, Robert <rplotkin@mcguirewoods.com>
To: <amgauctions@comcast.net>
Date: May 13 2005 - 9:39am
I think you sent this to wrong Plotkin.
-------------------------Sent from my BlackBerry Wireless Handheld
-------------------------This e-mail may contain confidential or privileged information. If you are not the intended
recipient,
please advise by return e-mail and delete immediately without reading or forwarding to
others.
-----Original Message----From: Stan Caterbone <amgauctions@comcast.net>
To: Plotkin, Robert <rplotkin@mcguirewoods.com>

Sent: Tue Mar 29 04:50:32 2005


Subject: Do you know my cousin, Diane Nast?
Hello Stan,
I think you have a decent case. Some things can be done different. I
happen to work with the very best lawyers around the country. You can't
hire an attorney from your area and expect to have a great case it just
doesn't happen because you do not know if they are going to take you for
a ride or not. I happen to have 3 great lawfirms that do this type of
work but they all would require an hourly rate. First you will want to
Advanced Media Group

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February 12, 2006 Continued


Sunday
know 1 million is not enough damages. These firms go after tens of
millions regularly, Robert has filed for hundreds of millions on cases
in the past so you are not dealing with any country attorney's, your
dealing with the best of the best. I talked to Robert in short about
your case and he wants a chance to read it and then to call you. I also
talked to a couple of other lawfirms about your case as well and they
have not yet got back to me. I read your resume' and I feel that you are
justified in your actions but the fact remains it will be hard for you
to find a decent attorney to handle your case properly. What I would
suggest is you can use a great lawfirm for the case and someone as local
counsel that would work on a contingency there. So on one hand you would
have a power hitter and you would catch them with their pants down and
potentionally get your case reversed. Otherwise the outcome looks that
the case could be unsatisfactory. Anymore in the legal community the
facts are is you get what you pay for. Most attorney's want to take 40%
plus expenses across the board but only want to do 10% worth of work on
the case. I try to work with lawfirms that do 60% of the work because I
am only as good as the people I work with. I hope that this helps, Alan.
Robert Plotkin 312-255-1220 or 312-255-1409
Google Desktop: Re: Do you know my cousin, Diane Nast? http://127.0.0.1:4664/cache?event_id=
96054&schema_id=1&q=nast&s...
2 of 2 2/12/2006 8:47 AM
Search nast
Google Desktop Home - Privacy - Index Status - About - 2005 Google

February 13, 2006


Monday
2:00 PM - 2:30 PM

Comcast Cable -- South Duke Street Lancaster

Again went to Comcast after digital service was again shutt off. Again, another useless
phone call to customer service.
Told them that Mable of the Legal dept processed bankruptcy order. After about 20 minutes,
said service was restored.

February 16, 2006


Thursday
10:00 AM - 10:30 AM

PA Housing Finance Letter -- NOTICE OF DECISION OF HEARING EXAMINER

Advanced Media Group


220 Stone Hill Road
Conestoga, PA 17516
S.S. #: 200-46-6095
Chief Counsel - HEMAP Hearing Request,
PHFAIHEMAP,
21 1 North Front Street,
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Thursday
P.O. Box 15628,
Harrisburg, PA, 17105-5628
Facsimile: 717-780-4031

February 16, 2006

Re:

NOTICE OF DECISION OF HEARING EXAMINER

For the record, I did not provide the statements in the report as you have determined.
I protest the accuracy of the statements that were reported in the Decision, and formally
request a copy of the tape recording. I also have determined there are several inaccuracies
concerning the facts that were established.
Given that you a Federally funded program, what courts would have jurisdiction in
any appeals that may follow?

Respectfully,

Stan Caterbone
Cc:

Judge Mary McLaughlin,


Judge Thomas Twardowski,
File

February 18, 2006


Saturday
9:00 AM - 12:00 AM

Mardi Gras - New Orleans

February 19, 2006


Sunday
All Day

Mardi Gras - New Orleans


Please See Above

February 20, 2006


Monday
All Day

Mardi Gras - New Orleans


Please See Above

February 21, 2006


Tuesday
All Day

Mardi Gras - New Orleans


Please See Above

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Tuesday
9:30 AM - 11:30 AM

Futlon Hearing in Reading -- Bankruptcy Court, Reading, PA

1. If you do not want the court to grant the relief sought in the motion or if you want the
court to consider your views on the motion, then on or before February 8, 2006 you or your
attorney must do & of the following:
(a) File an answer explaining your position at
The Madison Building
400 Washington Street, 3" Floor
Reading, PA 19601
If you mail your answer to the bankruptcy clerk's office for filing, you must mail; it early
enough so that it will be received on or before the date stated above; and
(b) mail a copy to the movant's attorney:
Shawn M. Long, Esquire
Barley Snydcr, LLC
126 East King Street
Lancaster, PA 17602
Telephone: (717) 399-1512
Facsimile: (717) 291-4660
2. If you or your attorney do not take the steps described in paragraphs l(a) and l(b)
above and attend the hearing, the court may enter an order granting the relief requested in the
motion.
3. A hearing on the motion is scheduled to be held before the Honorable Thomas M.
Twardowski

on February 21, 2006, at 9;30 a.m. in Courtroom 1, United States Bankruptcy


Court, 400 Washington Street, Reading, PA 19603.
4. If a copy of the motion is not enclosed, a copy of the motion will be provided to
you if you request a copy rom the attorney named in paragraph 10).
5. You may contact the Bankruptcy Clerk's office at 610-320-5255 to find out
whether the hearing has been canceled because no one filed an answer.
Date: January 24,2006

Judge Twardoski no show


Ipod stolen in courtroom by woman beside me
Security guard picks me up and takes me down to lobby
Ipod found in security check
Security guards (4)pick me up and throw me out

February 22, 2006


Wednesday
All Day

Mardi Gras - New Orleans


Please See Above

8:00 AM - 8:00 AM

Deadline Judge Twardowski Feb 2 Order

9:00 AM - 9:30 AM

Visit Comcast to confirm appt. -- Comcast n. duke street

10:00 AM - 11:00 AM

Lancaster County Commissioners Meeting -- Lancaster County Courthouse

Art Morris, and Planning Commission. Walked out after hearing they awarded the
consultants bid 1 week before RFP was due.

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Wednesday
11:30 AM - 12:30 PM

Bball at F&M -- F&M College

1:00 PM - 1:30 PM

Suburban Cable Appt -- 200 Stone Hill Road

Cable modem turned on before Comcast tech even entered my office, how could that
happen? Blue light on vonoge modem was lit for first time since Friday, the week before.

February 23, 2006


Thursday
All Day

Mardi Gras - New Orleans


Please See Above

February 24, 2006


Friday
All Day

Mardi Gras - New Orleans


Please See Above

All Day

Received Leo Eckert summons from Conestoga Police

COUNTY OF: Lancaster


k g . Disl. b.:
02-2-06
M0.J Mmo: Hon.
LEO H. ECXERT, JIL
Md"a: 841 ST- ROAD
H I L L ~ V I U , PA
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT: NAME and ADDRESS
~CJLTIPBS~T,AU LEY J.
220 STOHX HILL ROAD
COlRES-, PA 17516
Date Filed: 2/06/06
L
BT- J. CATIPBm
220 smmE HILL ROAD
mSTOGA, PA 17516
REQUEST FOR SUSPENSION OF DRIVING PRIVILEGE FOR
FAILURE TO RESPOND TO A CITATION OR SUMMONS
OR-PAY FINES AND COSTS IMPOSED oate of add lttolral notice:
2/11/06
a citation or summons or wy any fines and costs imposed for a violation of the section of the
Pennsylvania Vehicle
tation and pay the fine, casts, and penalties shown, or post security for a trial within 15 days
of
to the Depalbnent of Transportation, which will suspend your driving privilege until you
respond to
nalties imposed. If the Total Due is not specified, you will need to contact the District Court If
your
additional costs to restore your operating privileges.
THIS NOTICE DOES NOT PERTAIN TO ANY PARKING VIOLATIONS.
Driving while under suspension mandates at least a fine of $200.00 and an additional 1 year
suspension of your driving privilege CITATION NO. DATE OF VIOLATION LOCATION OF
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VIOLATION CHARGE, SECTION AND SUBSECTION VIOLATED B2421526-2 2/05/06 -/HILL
ST S 75 13111 111
DESCRIPTION OF VIOLATION FINE AND COSTS IF TRIAL REQUESTED
DISREGARD 'EPIVFIC CDmTROL DEVICE $106.50 OR $112 -50
DRIVERS LICENSE NUMBER STATE DATE OF BIRTH
18195782 PA 7/15/58
LAST NAME FIRST NAME MI SEX
CATEREOm STAWLBY -J -M
STREET ADDRESS
REGISTRATION NO.
SUBMIT CHECK OR MONEY ORDER TO THE ABOVE NAMED MAGISTERIAL DISTRICT
JUDGE OFFICE
DATE
-2/23/06
INSTRUCTIONS:
1. This violation may be disposed of without a trial by paying the fine and costs shown
above. Payment of fine and costs prescribed is a plea of guib.
NOTE: make your check or money order payable to the magisterial district numbsr shown
above.
2. You are entitled to a thl. If you so desire, fotward security in the amount of the fine and
costs shown plus an additional 56.C4XoSts to the magisterial
distrkt judge together with your plea of not guilty. You will be notified of a bial date. If you do
not appear, your security will be forfeited.
3. Failure to pay the fine and costs or post security shall resun in the suspension of your
driving privileges.
DATE P P I m r 2/23/06 10r34r39 AM
COUNTY OF: w m
Mag. mat. No:
02-2-06
MDJ Nme: Hm.
LEO H. ECumT, Jp
Add"L: 841 ST- BOAD
MILLEBSVILWe, PA
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT: NAME and ADDRESS
~&~TERBOI@ES,T - J.
220 S'K)IR BILL ROAD
COIRS-, PA 17516
Date Filed: 2/06/06
L
3. CA220 ST- BILL ROAD
CO=STO@A, PA 17516
REQUEST FOR SUSPENSION OF DRIVING PRIVILEGE FOR
FAILURE TO RESPOND TO A CITATION OR SUMMONS
-s~A,.,D.COm mmm- - - Elate o f ~ o t l c e -:
2/13/06
a citation or summons or pay any fines and costs imposed for a violation of the section of the
Pennsylvania Vehicle
u respond to the citation and pay me fie, costs, and penaities show, or post security for a trial
within 15 days Of
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I be referred to the Deparbnent of Transportation, which will suspend your driving privilege
until you respond to
, costs, and penaties imposed. if !he Total Due is not specified, you will need to contact the
District Coun. If your
u will be required to pay add'mnal costs to restore your opsrating privileges.
THIS NOTICE DOES NOT PERTAIN TO ANY PARKING VIOLATIONS.
Driving whib under suspension mandates at least a fine of Pw.00 and an add'irional I year
suspension of your driving priviiege.
CITATION NO. DATE OF VIOLATION LOCATION OF VlOLATlON CHARGE, SECTION
AND SUBSECTION VIOLATED
82421477-2 2/05/06 YUP/HILL BT S 75 14703 SSA
DESCRIPTION OF VIOLATION FINE AND COSTS IF TRIAL REQUESTED
DRIVERS LICENSE NUMBER
18195782
LAST NAME
STATE DATE OF BIRTH
PA 7/15/58
FIRST NAME MI SEX
CA-m STAULBY -J -M
STREET ADDRESS
220 S'K)IR HILL ROAD
CITY STATE ZIP CODE
COIISTOQll PA 17516
REGISTRATION NO. STATE YEAR MAKE MODEL
SUBMIT CHECK OR MONEY ORDER TO THE ABOVE NAMED MAGISTERIAL DISTRICT
JUDGE OFFICE
DATE
6--2/23/06
INSTRUCTIONS:
1. This violation may be dispofed of without a trial by paying the fine and costs shown above.
Payment of fine and costs prescribed is a plea of guilty.
NOTE: make your check or money order payable to the magisterial district number shown
above.
2. You are entitled to a trial. If you so desire, fonuard security in the amount of the fine and
costs show plus an additional $6.00costs to the magisterial
district judge together with your plea of not guilty. You will be notified of a trial date. If you do
not appear, your security will be forfeited.
3. Failure to pay the fine and costs or post securiiy shall resun in the suspension of your
driving privileges.
DATE PRImmr 2/23/06 10:34:39 AN

February 25, 2006


Saturday
All Day

Mardi Gras - New Orleans


Please See Above

All Day

Received Mellon Bank Response to Fed CA


PHILADELPHIA

NEW YORK ATL4NlA NEWARK CHARLOTTE SAN DIEGOCHERRY HILL

COZEN

SAN

FRANCISCO
CHICAGO SEATTLE DALLAS TRENTON DENVER
CONSHOHOCKEN MS VEGAS
CORWRATION

O'CONNOR

ATTORNEYS WICHITA

WASHINGTON, DC HOUSTON WEST

LONWN WllMlNGTON LOS ANGELES A PROFESSIONAL

1900 MARKET STREET PHILADELPHIA, PA 19103-3508 215.665.2000 800.523.2900 215.665.201

3 FAX w.co2en.com

February 23,2006
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1900 MARKET STREET PHILADELPHIA, PA 19103-3508 215.665.2000 800.523.2900 215.665.201

3 FAX w.co2en.com

February 23,2006
VIA HAND DELIVERY
George M. Gowen III
Direct Phone 215.665.2781
Direct Far 215.701.2028
gptn*mn.cem

The Honorable Mary A. McLaughlin


United States District Court for the Eastern
District of Pennsylvania
601 Market Street
Philadelphia, PA 191 06
Re: Caterbone v. Lancaster Countv Prison, et al., 2:05-CV-2288

Dear Judge McLaughlin:


Enclosed please find a courtesy copy of Mellon Bank, N.A.'s Motion to Dismiss and
accompanying memorandum, which were filed with the Clerk of Court via ECF today.
Respectfully,
COZEN O'CONNOR

By: George M. Gowen III


GMGlsaw
Enclosure
cc: Stanley J. Caterbone (wl encl.)
Stuart A. Weiss, Esquire (wl encl.)
Stephanie Carfley, Esquire (wl encl.)
Christopher S. Underhill, Esquire (wi encl.)
Avalon Police Department (wi encl.)
Lancaster County Prison (wl encl.)
Lancaster County Sheriffs Department (w/ encl.)
Stone Harbor Police Department (wl encl.)

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA

STANLEY J. CATERBONE,
Plaintiff,

Civil Action No. 2:05-cv-2288-MAM


LANCASTER COUNTY PRISON, et al.,
Defendants.
ORDER
AND NOW, this day of ,2006, upon consideration of Mellon Bank, N.A.'s Motion to Dismiss, and any
response thereto, it is hereby ORDERED that said motion is GRANTED. It is hereby further
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Saturday
ORDERED that the Plaintiffs Complaint, as to
Commonwealth National Bank and Mellon Bank, N.A., is DISMISSED WITH PREJUDICE.

IN THE UNITED STATES DISTRICT COURT


FOR TKE EASTERN DISTRICT OF PENNSYLVANIA

STANLEY J. CATERBONE,
Plaintiff,
Civil Action No. 2:05-cv-2288-MAM
LANCASTER COUNTY PRISON, et al.,
Defendants.
MELLON BANK, N.A.'s MOTION TO DISMISS
Pursuant to Federal Rule of Civil Procedure 12(b), Mellon Bank, N.A. ("Mellon") hereby
moves to dismiss Plaintiffs Complaint, to the extent it purports to state a claim against
Commonwealth National Bank or against Mellon. The grounds for Mellon's motion are set forth in the
accompanying memorandum of law.
Dated: February 23,2006

S/ George M. Gowen III


George M. Gowen III
Stuart A. Weiss
COZEN O'CONNOR
1900 Market Street
Philadelphia, PA 19103
Tel. (215) 665-2000
Fax (215) 665-2013
Attorneys for Mellon Bank, N.A.

CERTIFICATE OF SERVICE

I, George M. Gowen, hereby certify that I served a true and correct copy of the foregoing Motion to
Dismiss and the accompanying memorandum of law, via U.S. First Class Mail, on the 23rd day of
February, 2006, upon the following:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga. PA 17516
Lancaster County Prison
625 East King Street
Lancaster, PA 17602-31 99
Stone Harbor PoliceD epartment
Avalon Police Department
9508 Second Avenue 3088 Dune Drive
Stone Harbor, NJ 08247 Avalon, NJ 08202
Stephanie Carfley
Lancaster County Sheriffs Department
BARLEY SNYDER, LLC 50 North Duke Street
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Saturday
126 East King Street P.O. Box 83480
Lancaster, PA 17602 Lancaster, PA 17608-3480
Attorneys for Defendant Fulton Bank
Christopher S. Underhill, Esquire
HARTMAN UNDERHILL &
BRUBAKER, LLP
221 East Chestnut Street
Lancaster, PA 17602
Attorneys for Defendant Manheim Township
and its Police Department
S/ George M.Gowen III
George M. Gowen III
1900 Market Street
Philadelphia, PA 19103
Tel. (215)665-2000
Fax. (215)665-2013
Attorneys for Mellon Bank, NA.

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA

STANLEY J. CATERBONE,
Plaintiff,
Civil Action No. 2:05-cv-2288-MAM
LANCASTER COUNTY PRISON, et al.,
Defendants.
MEMORANDUM IN SUPPORT OF
MELLON BANK, N.A'S MOTION TO DISMISS
Mellon Bank, N.A respectfully submits this memorandum in support of its Motion to
Dismiss.
INTRODUCTION
Plaintiffs rambling, 87-page Complaint must be dismissed, at least to the extent that it
purports to assert a cause of action against Mellon Bank, N.A. el ell on").' The Complaint, which is
poorly organized and often incoherent, contains allegations that cover over 20 years of unrelated
events and involving several different parties. When boiled down, however, Plaintiffs specific
allegation against Mellon arises from a single set of facts, which is unconnected to the several other
stories Plaintiff has inexplicably lumped together in his Complaint. Plaintiffs claim is simply that, in
1987, Mellon participated in the wrongful repossession of his aircraft, Mellon is not a named
Defendant. Mellon used to own Commonwealth National Bank ("Commonwealth"), which is a named
Defendant. Plaintiff apparently equates Mellon with Commonwealth and served Mellon with the
Complaint. For the purposes of this motion only, Mellon accepts Plaintiffs attribution of
Commonwealth's actions to Mellon. For simplicity's sake, this memorandum sometimes refers to
Commonwealth as "Mellon." thus violating "lender liability laws." Now almost 20 years later, Plaintiff
seeks redress for this
alleged action.
Plaintiff's Complaint should be dismissed for both procedural and substantive reasons.
First, Plaintiff failed to effect sufficient service of process on Mellon, even though the Court
specifically instructed Plaintiff to do so, and even though he has enjoyed almost 20 years to determine
the appropriate method. Second, Plaintiff expressly alleges that his purported claim against Mellon
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accrued in 1987, over 17 years ago. Thus, any such claim is barred by the statute of limitations.

FACTUAL BACKGROUND
For the purposes of this motion, the Court must accept Plaintiffs allegations as true.
Carteret Sav. Bank v. Shushan, 954 F.2d 141, 142 n.1 (3d Cir. 1992). Mellon does not attempt herein
to recite all the allegations contained in the Complaint. Rather, Mellon recites the allegations that
concern Mellon andlor Commonwealth.
Plaintiff alleges that, on June 9, 1987, he submitted an application to John Wolfe, Executive Vice
President of Commonwealth, to obtain a loan to finance the purchase of an aircraft. (Compl. at 24.) By
June 12, 1987, Commonwealth approved Plaintiffs application and provided him with $97,000 in
financing. (Id. at 25.) On June 12, 1987, Plaintiff used this $97,000 to purchase an aircraft from
Lancaster Aviation. (Id.)
According to Plaintiff, between June 27, 1987 and July 4, 1987, Commonwealth took part in the
repossession of Plaintiffs new aircraft. (Id. at 28-31) Insinuating that this 2 Who actually repossessed
Plaintiffs aircraft and when it occurred is not entirely clear from his Complaint. First, he alleges that
Lancaster Aviation repossessed his aircraft on June 27, 1987. (Compl. at 28.). Then, he states that
Commonwealth repossessed the aircrat? a few hours prior to midnight on July 4, 1987. (Id. at 31 .)
Finally, Plaintiff Footnote repossession was improper, Plaintiff alleges the first payment of the loan
secured by the aircraft was not due until July 25, 1987. (Id.) Plaintiffs aircraft, when repossessed,
housed certain business and personal papers. Plaintiff recovered those papers through a hired thirdparty, within hours of the repossession. (Id. at 32.) On the same day as the repossession, Plaintiff
contacted his personal attorney, Joe Roda, to inform him of the repossession. (Id. at 3 1 .) Mr. Roda
brushed off Plaintiff, stating, "Stan, you have to quit fabricating these allegations, it is July 4th, what
do you want me to do[?]" (Id.) On July 7, 1987, intending to file suit against Commonwealth for
breach of "lender liability laws," Plaintiff contacted the law firm of Capello & Foley. (Id. at 34.)
Two days later, according to Plaintiff, he received a letter from Commonwealth that provided three
reasons for the repossession of his aircraft: "(1) Failure to provide adequate insurance; (2) [removal of
[the] aircraft from Lancaster Aviation; and (3) [Plaintiffs intention] to fly [the] aircraft to Florida
without prior written notice." (Id.) While Plaintiff did not file suit, sometime between July 1987 and
August 8, 1987 he offered to settle this matter with Commonwealth in 1987 for a sum of $5 million.
(Id. at 34-37.) On August 8, 1987, Plaintiff received a letter from Commonwealth, declining his
settlement offer. (Id. at 37.)
Plaintiff took no further action until May 16,2005, when he brought this lawsuit. Even
then, Plaintiff took no action to serve his Complaint for the next seven months. On January 5, 2006,
this Court ordered Plaintiff to serve his Complaint upon each named defendant by January 25,2006 or
suffer the consequence of dismissal of his action. (See Jan. 5,2006 Order [doc. #3] at 2.) According
to Plaintiff, eleven days later, he sent a copy of his Complaint to Mellon via certified mail. (See
Certificate Serv. [doc. #8].) alleges that he received a letter from Commonwealth on July 9, 1987
"regarding the repossession 9 days prior." (Id. at 34.)
ARGUMENT
I. PLAINTIFF'S PUTATIVE CLAIM AGAINST MELLON MUST
BE DISMISSED FOR INSUFFICIENT SERVICE OF PROCESS.
Plaintiffs Complaint should be dismissed, pursuant to Federal Rule of Civil Procedure
12(b)(5), for insufficient service of process. In considering a motion to dismiss for insufficient service
of process, the serving party bears the burden to demonstrate that his method of service \w.s proper.
Grand Entm 't Group Ltd. v. Star Media Sales Iitc., 988 F.2d 476,488 (3d Cir. 1993). Plaintiff
cannot meet that burden.
Mellon is a national banking association. Service on a corporation or association may be effected by
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Mellon is a national banking association. Service on a corporation or association may be effected by
delivering a copy of the summons and complaint to an officer, a managing or general agent, or to any
other agent authorized by appointment or by law to receive service of process.
See Fed. R. Civ. P. 4(h). Rule 4(h) also allows service upon such an entity pursuant to the law of the
state in which the district court is located. Id. The Pennsylvania Rules of Civil Procedure, however,
also only permit "unincorporated associations" or "corporations and similar entities" to be served by
"handing" a copy of original process to certain or agents of the entity. See Pa. R. Civ. P. 402, 423,424.
Thus, under Rule 401) and the state rules it incorporates, Plaintiff could only serve Mellon by handdelivering the Summons and Complaint. Plaintiff did not do so.
Rather, he served Mellon by mail. (See Certificate Serv. [doc. #8].) Therefore, service of process was
insufficient. Plaintiff may argue that his pro se status should accord him some leniency with regard to
service of process. Pro se status, however, does not qualify ignorance or disregard of the procedural
rulcs. See Barrett v. City ofAllentown, 152 F.R.D. 46,49 (E.D. Pa. 1993).
According to Plaintiff himself, he has been contemplating filing this action since 1987. His Complaint
reflects that he had both the time to understand and access to the rules of procedure. Moreover, this
Court specifically instructed Plaintiff to fulfill his obligation to serve theComplaint properly. (See Jan.
5,2006 Order [doc. #3].) Plaintiff failed to meet the Court's directive.
Courts do not hesitate to dismiss actions for insufficient service of process. See Lin v.
Pa. Mach. Works, Znc., No. C1V.A. 97-382, 1997 WL 364481, at "1-2 (E.D. Pa. June 24, 1997)
(dismissing apro se plaintiff s complaint under Federal Rule of Civil Procedure 12(b)(5) for failure to
effect proper service). This case should be no exception. The Court should dismiss the Complaint for
insufficient service of process and for failure to comply with the Court's January 5,2006 Order.
11. PLAINTIFF'S CLAIM AGAINST MELLON IS TIME-BARRED.
The Court should also dismiss Plaintiffs claim against Mellon becausd any such claim is irrefutably
time-barred pursuant to Federal Rule of Civil Procedure 12(b)(6). Fed. R. Civ. P. 12(b)(6). A
complaint should be dismissed, for failure to state a claim, where it appears beyond a doubt that the
plaintiff can prove no set of facts in support of his claim that would entitle him to relief. Carino v.
Stefan, 376 F.3d 156, 159 (3d Cir. 2004). A defendant may "raise a limitations defense in a Rule
12(b)(6) motion where the time alleged in the statement of a claim shows that the cause of action has
not been brought within the statute of limitations." Robinson v. Johnsort 313 F.3d 128, 135 (3d Cir.
2002); see also Oshiver v. Levin, Fishbezn, Sedran, & Berman, 38 F.3d 1380, 1385 n.l (3d Cir.
1994) (finding a statute of limitations defense may be raised pursuant to a 12(b)(6) motion where the
"complaint facially shows noncompliance with the limitations period and the affirmative defense
clearly appears on the face of the pleading.").
That is precisely the case here. Plaintiffs Complaint does not allege a specific cause of action or legal
theory against Mellon. Instead, Plaintiff alleges only that Mellon "participated in" the repossession of
an airplane. (Compl. at 28-31.) The airplane allegedly was the security for a loan from Mellon to
Plaintiff. (Id. at 25.) Without alleging why, Plaintiff insinuates that the repossession was improper.
(Id. at 3 1 .) Thus, construing these allegations quite liberally, and viewing them in a light most
favorable to Plaintiff, Plaintiff purports to allege conversion, replevin, trespass, fraud, breach of
contract and/or breach of fiduciary duty.
None of the limitations periods governing these causes of action, however, is greater than
four years.3 See In re Mushroom Transp. Co., 382 F.3d 325, 336 (3d Cir. 2004) (recognizing a 2-year
statute of limitations for breach of fiduciary duty claims); Dongelewicz v. PNC, N.A., 104 Fed.
Appx. 81 1,818 (3d Cir. 2003) ("The statute of limitations for fraud in Pennsylvania is two years.");
Green v. Assocs. Commercial Corp., No. C1V.A. 01-1270,2002 WL 340972, at *2 (E.D. Pa. March
4,2002) (noting that Pennsylvania has a 2-year statute of limitations for both conversion and replevin);
see also 42 Pa. Cons. Stat. 5 5524 (setting a 2-year statute of limitations for most torts); 42 Pa. Cons.
Stat. 5 5525 (setting a 4-year statute of limitations for breach of contract). Thus, for Plaintiffs claim
against Mellon to survive, the limitations period must not have begun to run until four years before he
filed his Complaint-i.e., until May 16, 2001.
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3 Plaintiff does not allege any of the Pennsylvania causes action for which the limitations
period is longer than 17 years. See 42 Pa. Cons. Stat. $9 5500-5531. While certain
causes of action do have 20-year, 21-one year, and no statute of limitations, those causes
of action are specifically enumerated and are not set forth by Plaintiffs Complaint even upon the most
liberal reading of the document. 42 Pa. Cons. Stat. 5528-5531. For example, Plaintiffs Complaint
does not allege the execution against personal property or instruments under seal, which claims have
20-year statutes of limitations. 42 Pa. Cons. Stat. 5529. Nor does Plaintiff assert a claim against
Mellon related to real property, which would have a 21-year statute of limitations. 42 Pa. Cons. Stat. 3
5530. Finally, Plaintiffs Complaint against Mellon does not involve a claim an against an attorney at
law or by a public entity, to which no statute of limitations would apply. 42 Pa. Cons. Stat. 3 5531.
The statute of limitations begins to run when a plaintiffs cause of action accrues. Oshiver v. Levin,
Fishbein, Sedran, & Berman, 38 F.3d at 1385. Under the "discovery rule," the accrual date is not the
date when injury occurs, but rather the date on which the plaintiff discovers the injury. Id. Here,
Plaintiff alleges that his putative cause of action against Mellon accrued in 1987, when Mellon
repossessed his aircraft. (Compl. at 28-3 I.) Plaintiff not only alleges that the act occurred in 1987, but
he also alleges that he discovered the act in 1987. For example, Plaintiff alleges that, on the very same
day that Mellon repossessed Plaintiff's aircraft, he contacted his attorney, Joe Roda, about the incident.
(Id. at 31.) Within the next week, Plaintiff contacted the law firm of Capello & Foley in order to file
suit. (Id. at 34.) Plaintiff even went as far as to make a settlement demand on Mellon sometime
betweeri July 1987 and August 8, 1987. (Compl. at 34-37.) Thus, the statute of limitations on
Plaintiffs claim against Mellon began to run in 1987, over 17 years before he filed suit. Limitations
periods exist for a reason-fairness. Burnett v. N. Y. Cent. R.R. Co., 380 U.S. 424,428 (1965). The law
recognizes that, at a certain point in time, individuals and entities must be free to assume that they
will not be called upon to defend their prior conduct. Order 0fR.R. Tel. v. R.Y. Express Agency,
Inc., 321 U.S. 342,349 (1943). Over time, memories fade, evidence is lost, witnesses disappear, and
people and companies move on with their lives and businesses. Johnsort v. Ry. Express Agency,
Znc., 421 U.S. 454,473 (1975). Moreover, "the courts ought to be relieved of the burden of trying stale
claims when a plaintiff has slept on his rights." Burnett, 380 U.S. at 428. This case presents a perfect
example why limitations periods are necessary.
Plaintiff purports to require Mellon to answer his loosely-organized aspersions about the conduct of
one of Mellon former banks almost 20 years ago. He also demands that the Court use its resources to
try a stale claim that he failed to raise for 17 years. It would be unfair to force Mellon or the Court to
do so. Accordingly, Plaintiffs claim against Mellon should be dismissed as time-barred.
CONCLUSION
For the foregoing reasons, Mellon respectfully requests that this Court dismiss the
Complaint, to the extent that it purports to assert a claim against Mellon andlor Commonwealth.
Dated: February 23,2006
st George M. Gowen 111
George M. Gowen I11
Stuart A. Weiss
1900 Market Street
Philadelphia, PA 19103
Tel. (215)665-2000 a
Fax. (215)665-2013
Attorneys for Mellon Bank, NA.

February 26, 2006


Sunday
All Day

Mardi Gras - New Orleans


Please See Above

Advanced Media Group

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9/25/2006 10:03 AM

February 27, 2006


Monday
All Day

Mardi Gras - New Orleans


Please See Above

February 28, 2006


Tuesday
12:00 AM - 10:00 AM

Mardi Gras - New Orleans


Please See Above

7:00 PM - 11:00 PM

Sheryl - Austin Bass Hall Concert -- Austin, Texas

March 01, 2006


Wednesday
9:00 AM - 9:30 AM

Lancaster County Commissioners Meeting -- Lancaster County Courthouse

10:00 AM - 10:00 AM

Lancaster County District Attorney Office -- Lancaster County Courthouse

Drop off letter to Donald Attorney

10:30 AM - 11:00 AM

Lancaster Chamber of Commerce -- Vine street, Lancaster, PA

Request 2006 fee schedule for Project Hope and Advanced Media Group. See Sharon Roda,
who works for the Economic Development and David Nikollof. Did not know she worked
there and asked to visit with her.
11:00 AM - 11:00 AM

Visit Joe Pinto at Cliiper Stadium

Stopped by to see Joe about the concert schedule for the summer. Joe was busy.

March 02, 2006


Thursday
3:00 PM - 3:30 PM

Phone call from Attorney JoLynn Stoy of PHFA

Another argument about getting the recording of my Appeal Hearing on Jan 18th in
Harrisburg. She again tried to lie her way out of the fact that they fabricated my statement in
theie finding. Hung up on her.
4:00 PM - 4:30 PM

Mail Certified letter to JoLynn Stoy

5:00 PM - 11:00 PM

Sheryl Houston Reliant Stadium Concert -- Houston, Texas

Houston Rodeo with Concert


6:00 PM - 7:30 PM

Lombardoes Restuarant -- Harrisburg Pike

Mike lombardo will email cemetary in Italy with deceased from Lancaster Family's
7:00 PM - 11:00 PM

Fiona - 3/2/06 WASHINGTONG DC MCI CENTER -- WASHINGTONG DC MCI CENTER

7:00 PM - 11:00 PM

Fiona - 3/2/06 WASHINGTONG DC MCI CENTER -- WASHINGTONG DC MCI CENTER

March 03, 2006


Friday
All Day

Advanced Media Group

Sheryl Grand Prarie Nokia Theater -- Grand Prarie, Texas

111

9/25/2006 10:03 AM

March 04, 2006


Saturday
4:00 PM - 4:30 PM

Interrogation

7:00 PM - 11:00 PM

Sheryl Corpus Cristi Concert -- Corpus Cristi, Texas

Concrete Street Amp

March 05, 2006


Sunday
5:00 PM - 5:30 PM

NSA

March 07, 2006


Tuesday
7:30 PM - 8:00 PM

Hypnosis Seminar -- Holiday Inn Greenfield

Talk to someone and they said smoking would be over at 8pm and the diet would start at 8pm
and end at 10. $59. fee to attend. The went to Dispensing com and had 2 beers, then to Alley
Kat had 3 drinks and 3 cokes until 1:15am, then went home. Went back out at 3:00am.

March 08, 2006


Wednesday
3:30 AM - 4:00 AM

-- Lancaster City Police Station

Desk Sergeant and tall short haired officer carring black gym bag were at front desk. Laid my
business card on desk and asked if "they knew what chlorphorme was, and that I heard
rumors around town that someone was using that stuff, and they should clean this town up
from using that stuff".

March 11, 2006


Saturday
12:00 AM - 12:00 AM

Clear and grub

March 12, 2006


Sunday
All Day

Clear and grub


Please See Above

7:00 PM - 8:30 PM

Mideast leader speaks on peace -- Lancaster Friends Meeting, 110 Tulane Terrace, behind Wheatland
Shopping Center.

Palestinian leader Jean Zaru will be the featured speaker at a convocation Sunday, March 12,
hosted by the Lancaster Interchurch Peace Witness' Middle East interest group. Her address,
"Peacemaking in Palestine and Israel," will begin at 7 p.m. at Lancaster Friends Meeting, 110
Tulane Terrace, behind Wheatland Shopping Center.
The public is invited. An offering will be taken.
Zaru is in the United States to speak to a Middle East conference in Washington, D.C. Born in
Ramallah, West Bank, in 1940, eight years before the Palestinian diaspora, the "birthright
Quaker" has devoted her life to dialogue and nonviolent social change.
For 17 years Zaru has served as the presiding clerk of the Ramallah Friends Meeting in
Palestine. She received the "For the Healing of the Nations" reconciliation award in 1997 and
the Award of Affirmation in 2005 from the global ministries of the Christian Church (Disciples
of Christ) and the United Church of Christ in the United States and Canada. She received the
2004 Peace Award and the 2005 Nonviolence Award from the Swedish Fellowship of
Reconciliation.
Advanced Media Group

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9/25/2006 10:03 AM

March 12, 2006 Continued


Sunday

March 13, 2006


Monday
12:00 AM - 12:00 AM

Clear and grub


Please See Above

March 15, 2006


Wednesday
5:00 PM - 7:00 PM

ST. PATRICKS DAY SPIRIT AT COURTYARD BY MARRIOTT MIXER -- COURTYARD BY MARRIOTT

Members are invited to summon their inner-Irish and get in the St. Patricks Day
spirit at the Courtyard by Marriott Mixer on Wednesday, March 15 from 5 to 7
p.m. Guests will tap their toes to traditional Celtic music and enjoy some tasty
Irish fare while exploring all that Lancasters newest hotel has to offer.

March 21, 2006


Tuesday
6:30 AM - 7:00 AM

Somenon just shot at me

At approx 6:30 am this morning I was out by the side of my house in the woods tying up a
tree and someone from the adjacent valley shot one shot which sounded like it was it could
have been at me. There were no hunters in the area that I could see. There are homes on
valley road that have a clear line of sight.
I immediately went to the Southern Regional Police Dept on Main Street and found Officer
Buzzer inside. I said "someone just shot at me" and he looked at me like I was lying. I said
why don't you like me, and he said "because you don't get any help". I said what are you
taking about and he said you don't take your medicine". I said you are nuts, I am going to file
a civil lawsuit against you. Someone justs shot at me and he ordered me out of the station,
then he went and bent his elbow and put his forearm in my throat and pushed me out the
door.
As he backed me out of the door, Chief Fiorell pulled up and got out of his car, I said
someone just shot at me, and I said you have to get rid of that asshole, he shouted at me to
get out, I approached him, and smelled alcholol all over his breath, and I said you smell llike
you were just drinking, and said I was going to the DA's office.
I left and went to Valley road and saw a black pickup truck behind one of the houses on
Valley road, which was running and warming up. I saw no hunters around from field where it
sounded like ths shot came from.
Then Bill Houston's son walked out to get the bus, and loolked scared, I asked him if he heard
any shots this morning and he said no. I asked him again, and he said no again.
Signed, Stan J. Caterbone

Advanced Media Group


Stan Caterbone
mailto: amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Advanced Media Group

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March 21, 2006 Continued


Tuesday
Fax: (717) 427-1621
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
4:00 PM - 5:00 PM

EXCELSIOR PLACE INVESTOR -- SOUTHERN MARKET, LANCASTER, PA

Excelsior to get new investor


Partner to be revealed today for E. King project

BY PAULA HOLZMAN, Intelligencer Journal Staff


Today's city Redevelopment Authority meeting could break the deadlock on plans to
renovate several long-vacant properties in
the 100 block of East King Street. Local developers Rich Heslin and John Meeder and
Baltimore-based developer Stanley Keyser had been
planning to renovate two properties, Excelsior Hall, 125-131 E. King St., and the Galiano
buildings, 141-159 E. King St. Both are owned by
Redevelopment Authority of the City of Lancaster.
The team in November began formulating detailed plans and financing, a step required
before the authority would sell the buildings.
But Keyser -- who had been assembling the project's finances -- pulled out of the deal
about 45 days ago, said Chuck Maneval, the city's director of community and economic
development. "We don't have a clear understanding of why," Maneval said. Heslin
requested 30 days to secure another investor to take Keyser's place. Maneval said the
developers told him they will name the new investor at today's 5:15 p.m. meeting at
Southern Market
Center. Heslin declined comment on the project.
"We're in the midst of very sensitive negotiations," he said. If the new team meets the
authority's requirements, the two parties can set a date to settle on the properties,
Maneval said. Built in 1875, Excelsior Hall has been empty since 1977. The city acquired it
in 1997 Heslin, Keyser and Meeder last fall proposed spending $5 million to convert the
building into 15 condominiums and a restaurant. The city took ownership of the Galiano
buildings after developer John Galiano defaulted on their mortgages before his death in
2001. The team discussed turning those buildings into first-floor commercial space with
residential units on the upper floors.
"The development of the Excelsior Building and its companion property, the Galiano
building(s), and others will provide an excellent source of employment, historic
preservation and new taxes for the city," Maneval said. He said it makes sense for one
developer to tackle several projects on the same block to
strengthen the economic impact of the improvements. 2004-2006 Lancaster

Newspapers

PO Box 1328, Lancaster PA 17608, (717) 291-8811


Terms of Service Privacy Policy

March 22, 2006


Wednesday
6:30 PM - 7:00 PM

PA Housing & Finance Agency letter to Lin Patch & JoLynn Stoy

FAX COVER SHEET


TO:
Lin Patch, Appeals Officer HEMAP Appeals Unit
COMPANY:
Pa Housing and Finance Agency
FAX NUMBER
FROM: Stan Caterbone
DATE: March 22, 2006
RE
Advanced Media Group

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March 22, 2006 Continued


Wednesday
COVER MESSAGE
+1-7177803905
Stan Caterbone
3/22/06 2:58 PM

Appeal to Commonwealth Courts I have recieved the tape recording of my appeal hearing on
March 15, 2006, and upon urther review, the following statement was not found on the
recording of my hearing: The applicant provided the following tatement with respect to the
cause of the mortgage delinquency: "These circumstances came about when I met with
fficials from International Signal & Control, plc., in 1987 and became involved with agencies
providing the United States of America associated with the highest level of Intelligence and
National Security. I was called upon by ISC to help to provide inancial assistance for
portions of thier [sic] operations. I immediately became suspect of these circumstances
following my eeting of June 23, 1987; and alerted various officials of local, state, and federal
authorities. It was these allegations that esulted in a 'Billion Dollar Fraud' that was
successfully prosecuted by he United State Attorney General and the Federal Bureus [sic] of
Investigation in 1990. This [sic] circumstances have been before now, a dire problem within
the scope and bounds of our National Security. These circumstances are now able to be
adjucated within the Court of Law under the provisions and doctrines of the Constitution of the
United States of America. During these activities, certain agencies of the ntelligence
community, began extracting information on present and future issues concerning the current
state of affairs of he United States of America." I also have learned that Mr. Cooper in the
hearing stated that an appeal to the ommonwealth ourts time expired after 30 days, or 6
days after you provided me with the recorded trascript, which I initially requested on or bout
February 10, 2006. Was it your intention to delay the delivery of the tape recording so that the
time for filing my appeal ould have expired?
Respectfully,

Stan J. Caterbone
Advanced Media Group

Lin Patch, Appeals Officer HEMAP Appeals Unit


www.efax.com

March 24, 2006


Friday
8:00 AM - 8:30 AM

Reading Plea Due

7:00 PM - 12:00 AM

Sheryl on Date

See file folder for details

March 25, 2006


Saturday
6:30 AM - 7:00 AM

Key to Honda Stolen Mom's House and Billy Plank -- 1250 Fremont Street

Found beer can in back yard, and newspapers in kitchen. Noticed people may have been
inside house. While there, white small car pulled up in back beside Billy Planks truck, got out
and crawled under truck. Was a clue about the key under my van that was apparently stolen
Advanced Media Group

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9/25/2006 10:03 AM

March 25, 2006 Continued


Saturday
while my Honda was parked in the front of my house. Decided to go and put evidence in
Fulton Banks Safety Deposit Box.
7:00 AM - 8:00 AM

McDonald for Breakfast -- Columbia Avenue

7:00 AM - 8:00 AM

Sheryl left for home -- 1331 Washburn Raod, Kennet, MO 55331

Sheryl headed for Interstate 8

8:30 AM - 9:00 AM

Went home to get key for Safety Deposit Box

9:00 AM - 10:00 AM

Hypnotized (Key) Fulton Bank Safety Deposit Box -- Columbia Avenue, Lancaster PA

Hypnotized with the Key Trick, Alarm went off on car, don't know how, younger woman beside
my car, lipstick. Lost key to ignition, got out of car, stood beside car, went back into car and
key was gone. Went to get key under car, and it was gone. Wanted to Switch Safety Deposit
Boxes. Alarm would not go off, left it on while I went into Bank. Turned alarm off with
keyfab, and remembered that I had another key in pouch. Found key hidden in rear
cupholder under a file folder.
See Digatal audio of Fulton Bank to change Safety Deposit Box. Fulton Bank tried to disuade
me from changing Safety Deposit box.
9:00 AM - 10:00 AM

Hypnotized (Key) Fulton Bank Safety Deposit Box -- Columbia Avenue, Lancaster PA

Hypnotized with the Key Trick, Alarm went off on car, don't know how,
younger woman beside my car, lipstick. Lost key to ignition, got out
of car, stood beside car, went back into car and key was gone. Went
to get key under car, and it was gone. Wanted to Switch Safety
Deposit Boxes. Alarm would not go off, left it on while I went into
Bank. Turned alarm off with keyfab, and remembered that I had
another key in pouch. Found key hidden in rear cupholder under a
file folder.
See Digatal audio of Fulton Bank to change Safety Deposit Box.
Fulton Bank tried to disuade me from changing Safety Deposit box.

11:00 AM - 12:00 PM

Gib Armstrong Office -- North Queen Street, Lancaster, PA

Pick up Right to Know and Freedom of Information Act documents.

March 26, 2006


Sunday
12:00 AM - 1:00 AM

Arrived Home at 220 Stone Hill Road

Came home to wait for Sheryl's arrival.

1:00 AM - 2:00 AM

Sheryl Said she was at Alley Cat

Sheryl said she was at Alley Cat


he would show her the way home.
something, and said someone else
left. Lance and friends hook up

2:00 AM - 3:00 AM

to give Brett a package, Brett said


Said he had to take care of
would. 3 guys came in and Sheryl
with Sheryl. Lance.....

Sheryl daid she was lost

Said she was in neigbors driveway.

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9/25/2006 10:03 AM

March 28, 2006


Tuesday
1:00 PM - 1:30 PM

Received Judge Fehling Order for Hearing

UNITED STATES BANKRUPTCY COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
IN KE:
Stanley J. Catdone,
Chapter 11
NO. 05-23059
DcMor
ORDER
AND NOW, this 20 day of March, 2006, upon our consideration of fkbtor's Request for
Hearin& which Request was flied today, lT IS HEWY ORDERED that Debtor's Request for
Heering is denied because nothing is pending befare this Court on which a hearing might be
held.
BY THE COURT
United States Bankruptcy Judge

March 29, 2006


Wednesday
2:00 PM - 2:30 PM

New Chapter 11 DEBTOR REQUEST FOR HEARING

UNITED STATES BANKRUPTCY COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
:
:
Chapter 11
Stanley J. Caterbone,
:
NO. 05-23059-TMT
Debtor
:
DEBTOR REQUEST FOR HEARING
On this day, March 29, 2006, Debtor hereby request a hearing with the Bankruptcy
Judge assigned to case No. 05-23059 for the following reasons:
A)

B)
C)

D)
E)

F)

Advanced Media Group

Debtor realizes that the reorganization plan is overdue and would like
the courts to address the determination as to how the debtor should
proceed in conjunction with the Federal Courts refusal to grant the
plaintiff of the Civil Action 05-2288 a hearing in that case.
Debtor has sufficient evidence that court documents have been subject
to erroneous removed from the court docket.
Debtor has creditors that refuse to abide by the
Federal rules and regulations of the bankruptcy code and would like your
honor to advise as to how to proceed and how to continue the debtors
chapter 11-bankruptcy petition.
Debtor has sufficient evidence of persons and or organizations that have
continued to thwart the debtors attempt to continue his business, thus
further the delaying of the debtor to pay down his debts to his creditors.
Debtor has sufficient evidence that Fulton Bank has been involved with
attempts to intimidate debtor to violate several rules and regulations of
the Federal Bankruptcy Code and the rules of Civil Procedures
concerning the same.
Debtor has sufficient knowledge and evidence of a continued campaign
by unknown computer hackers to thwart the actions of the debtor to
continue his operations of his business and his efforts to pay his
creditors and finalize and successfully complete his bankruptcy
proceedings.
117

9/25/2006 10:03 AM

March 29, 2006 Continued


Wednesday
G)

Debtor will again request a hearing from the Honorable Judge Mary A.
McLaughlin of the United States District Court for the Eastern District of
Pennsylvania regarding the Civil Action 05-2288

Dated March 29, 2006

_____________________________
Stanley J. Caterbone, Debtor, Pro Se
220 Stone Hill Road
Conestoga, PA 17516
(717) 431-8184

CERTIFICATE OF SERVICE
U.S. Bankruptcy Court
Eastern District of Pennsylvania (Reading)
Bankruptcy Petition #: 05-23059-tmt
Stanley J. Caterbone represented by Stanley J. Caterbone PRO SE
220 Stone Hill Road Conestoga, PA 19516
SSN: xxx-xx-0959
Debtor request for hearing dated March 29, 2006
Service To:
Mr. Hugh Ward
Office of the Trustee
U.S. Department of Justice
833 Chestnut Street
Suite 500
Philadelphia, PA 19107
Fax: 215.597.5795
Re: Case No. 05-23059
United States District Court for the Eastern District of Pennsylvania
Honorable Judge Mary A. McLaughlin
Room # 13614
601 Market Street, Room 2609
Philadelphia, PA 19106-1748
1 Citi Bank Credit Card
P.O. Box 183063
Columbus. OH 4321 8-3063
2 Bank of America
P.O. Box 53132
Phoenix, AZ 85072-31 32
3 PayPal Buyer Credit
P.O. Box 960080
Orlando, FL 32896-0080
4 Discover
P.O. Box 15251
Wilrnington, DE 19886-5251
5 Bank of America
Advanced Media Group

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9/25/2006 10:03 AM

March 29, 2006 Continued


Wednesday
P.O. Box 1070
Newark, NJ 07101-1070
6 ChaselBank One
P.O. Box 15153
Wilmington, DE 19886-51 53
7 AAA Financial Services
P.O. Box 15287
Wilmington, DE 19886-5287
8 AAA Financial Services
P.O. Box 15287
Wilmington, DE 19886-5287
9 Wells Fargo Financial Services
1941 Fruitville Pike S14
Lancaster. PA 1760110 Fulton Mortgage Services
P.O. Box 69
East Petersburg, PA 17520-0069
11 Comcast
P.O. Box 3006
Southeaster, PA 19398-3006
12 Sprint
P.O. Box 1769
Newark, NJ 07101-1769
13 Lancaster Regional Medical Ctr
P.O. Box 3434
Lancaster, PA 17604-3434
14 Capitol Blue Cross
P.O.BOX 778990
Harrisburg, PA 17177-8990
15 Donegal Mutual Insurance
P.O. Box 300
Marietta,PA 17547-0300
16 Verizon
P.O. Box 28000
Lehigh Valley, PA 18002-8000
17 FedEx
P.O. BOX 374161
Pittsburg, PA 15250-7461
18 PP&L
2 North Ninth Street
Allentown, PA 18101
19 Yolanda Caterbone
1250 Frernont Street
Lancaster, PA 17603
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9/25/2006 10:03 AM

March 29, 2006 Continued


Wednesday
20 Willow Run Veterinary Clinic
320 Beaver Valley Pike
Willow Street, PA 17584
21 Yarnell Security Systems
131 Elm Avenue
Lancaster, PA 17602
22 Cingular Wireless
4300 Kell Road
Wichita Falls, TX 76309
23 Honda Financial Services
P.O. Box 7829
Philadelphia, PA 19101-7829
24Beneficial
P.O. Box 4153-K
Carol Stream, IL 60197-4153
25 District Magistrate 23-1-04
Thomas H. Xavios
1209 North 10th Street
Reading, PA 19604
610-373-44246
26District Justice Leo H. Eckert, Jr.
847 Stehman Road
Millersville, PA 17551
Certificates of Service were sent by United States 1st Class Mail on March 30, 2006.

By, ________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone, Debtor
220 Stone Hill Road
Conestoga, PA 17516
(717) 431-8184

March 30, 2006


Thursday
8:00 AM - 8:30 AM

All Phone calls rerouted -- 220 stone Hill Road

All phone calls to State Police rerouted while trying to get Sheryl Help while persons try to
break into Hotel Room at the Chicago O'Hara Hilton
12:00 PM - 12:30 PM

Sheryl Problems In Hotel Room

4:00 PM - 4:30 PM

Sheryl left for airport (Kennett)

6:00 PM - 6:30 PM

Sheryl flight to Chicago O'Hara Aiport

Advanced Media Group

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9/25/2006 10:03 AM

March 30, 2006 Continued


Thursday
10:00 PM - 10:30 PM

Sheryl check in Chicago O'Hara Hilton -- Chicago O'Hara Airport

March 31, 2006


Friday
All Day

Wendall arrive in Lancaster Aiport routed to Philly -- Lancaster Airport

Lancaster Aiport Tower rerouted flight to Phil


2:00 AM - 2:30 AM

Call and Talk to Wendell & Bernice Crow -- 220 Stone Hill

2:00 AM - 2:30 AM

Supposedly FBI arrives to Sheryl's Room

FBI (imposter?) arrives at Chicago O'Hara Hilton to Sheryls Room, Sheryl would not open
door, said they were arresting persons outside sheryl's room, said someone had gun
4:30 AM - 5:00 AM

Sheryl Accusted In Aiplane Chloro & Mace -- Chicago O'[Haro Aiport in Plane

Lead into plane 2 hours before original flight


3 or 4 Men
Chicago Police Imposter mace
6:30 AM - 8:30 AM

Sheryl Flight to Hia Airport -- Chicago O'Hara

Flight to Harrisburg International Airport


Arrival ETA at MDT at 11:18 pm

April 01, 2006


Saturday
10:00 AM - 10:30 AM

Kathy (Crow) drives from NJ to Lancaster -- Schedule to meet at Southern Market

12:00 PM - 12:30 PM

Lance tries to land in LNS - Tower would not let land

April 02, 2006


Sunday
2:00 PM - 2:30 PM

Registration Stolen from Dodge Pickup

2:00 PM - 2:30 PM

Someone Enters 220 Stone Hill Road

Ran out of house after someone hiding in basement

April 03, 2006


Monday
5:00 AM - 5:30 AM

Sheryl on Flight to LNS connecting in Pittsburg -- Craighton, MO

6:00 AM - 6:30 AM

Person breaks into 220 Stone Hill Road

Leave drieway and with pickup go to Wagon Wheel for coffee and newspaper, group of Men
laughing at me. I ask them if anyone of them was in my house, stay out of house until
1:30pm.
3:30 PM - 4:00 PM

Chlorophorme in car -- Lancaster Airport Parking Lot

4:00 PM - 4:30 PM

Chorophormed released in Car -- Route 501

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9/25/2006 10:03 AM

April 04, 2006


Tuesday
All Day

Must Attend John Couger Show -- Sovereign Center, Reading, PA

Will see sheryl there

6:00 AM - 6:30 AM

Sheryl Home in Kennett -- Kennett, MO

9:00 PM - 9:30 PM

Southern Regional Police Keep Pounding At Door

Said they just wanted to talk, Fedor and Chief Fiorell


Security took picture. Said I was sick and wanted to help me.

Southern Regional Southern Regional Southern Regional


2 apr 4 2006...
3 apr 4 2006...
apr 4 2006.b...

10:00 PM - 10:30 PM

Phil Called From Austin Texas -- 220 Stone Hill Road

Said Lance was out of town this week.

record001.mp3 (21
MB)

11:00 PM - 11:30 PM

Fax Southern Regional Police Suit to Don Totaro, Lancaster County District Attorney

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Stanley J. Caterbone
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania

:
:

:
:

Southern Regional Police Department


Chief John A. Fiorill
Officer Buzzer
Officer Fedor
Officer Burger
Advanced Media Group

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9/25/2006 10:03 AM

April 04, 2006 Continued


Tuesday
Southern Regional Police Department
3284 Main Street
Conestoga, PA 17516

CIVIL ACTION

NO.
:

STATE OF PENNSYLVANIA

:
:
: ss

COUNTY OF LANCASTER

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

COMPLAINT

1. Libel: On several occasions officers did willfully and knowingly commit


acts of libel by verbally communicating and alleging plaintiff suffers
from mental disorders without merit and with malice with intent to cause
harm to plaintiffs reputation; cause plaintiff stress; cause harm to
business affairs and to obstruct plaintiffs federal civil litigation.
2. Slander: Police Department did slander plaintiff and his business.
3. Harassment: Officers did harass plaintiff at plaintiffs home on several
occasions.
4. Police Brutality: On several occasions officers did physically abuse
plaintiff without just cause and with malice.
5. Undo influence: Police Department is causing plaintiff problems and is
obstructing plaintiffs right to due process regarding his Federal Civil
Action 05-2288 currently in the United States Eastern District Court of
Philadelphia Pennsylvania.
6. False Imprisonment: On April 5, 2006 Officer Buzzer did knowingly and
willing falsely imprison plaintiff and maliciously attack plaintiff and
make false statements to authorities and to Lancaster General
Hospital.
Advanced Media Group

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9/25/2006 10:03 AM

April 04, 2006 Continued


Tuesday

_____________________________
Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

CERTIFICATE OF SERVICE

Stanley J. Caterbone represented by Stanley J. Caterbone


220 Stone Hill Road PRO SE
Conestoga, PA 19516
Schedule F
Addendum to Add Creditors to Schedule
Service To:

Southern Regional Police Department


Chief John A. Fiorill
Officer Buzzer
Officer Fedora
Officer Burger
Southern Regional Police Department
3284 Main Street
Conestoga, PA 17516

Advanced Media Group

124

9/25/2006 10:03 AM

April 04, 2006 Continued


Tuesday

Certificates of Service were sent by United States 1st Class Mail on April 15, 2006.
By, ________________________________
Stanley J. Caterbone, Pro Se

Stanley J. Caterbone, Debtor

April 05, 2006


Wednesday
12:00 AM - 12:00 AM

LGH Psychiatric Ward 8 East -- North Duke Street, Lancaster, PA 17602

2:00 PM - 2:30 PM

Officer Buser/Lancaster General Hospital/Millersville Police/East Lampeter Police

Falsley Arrested, taken to LGH on 302; $750 Cash stolen.

Southern Regional
Police to LG...

6:00 PM - 9:00 PM

Guess who's cooking in the Courtroom kitchen: Guests -- Marion Courtroom, Lancaster

Downtown restaurant to host fundraiser for MHA


BY JUSTIN QUINN, Intelligencer Journal Staff

Don't miss Guest Chef night at Marion Courtroom.


Your stomach and Lancaster County's mental health community will thank you.
The restaurant is hosting a Guest Chef Night from 5 to 10 p.m. Wednesday to raise money
for Mental Health Association. It will donate 25 percent of the price of certain entrees selected
by the guest chefs.
Teaming up to be guest chefs are Mary Steffy, executive director of the Mental Health
Association of Lancaster County; Katherine Kravitz, president of the Mental Health
Association board; Penn Ketchum, executive director of Lancaster County Mental Health and
Mental Retardation; and Douglas Shank, board president of MH/MR.
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April 05, 2006 Continued


Wednesday
Ketchum said he's never worked in the restaurant business and anticipates this is as close as
he'll get.
"I've been eating almost my entire life, though," he said. "I'm looking forward to making my
selections."
The menu already includes appetizers such as hot crab dip and peel-and-eat shrimp and
entrees like lasagna and chicken parmesan with roasted vegetables and snap peas.
Steffy said organizers hope to raise $1,000 for Mental Health Association, or MHA, a
nonprofit organization that provides referral services and mental health services for Lancaster
County residents.
"We're trying to develop that second signature event," she said. "Right now our Legislative
Breakfast (which was held Friday morning) is the event most people know about. We also
have a flower sale in May and a pasta buffet and auction in November."
Fundraisers like Guest Chef Night are vital to MHA's annual operating budget, which is
$200,000, Steffy said.
"It helps keep us independent," Steffy said. "We derive about 42 percent of our funding from
United Way, but we are competing with about 50 other agencies for those funds. We're
always trying to find new ways to raise money."
On June 2, MHA plans to hold a Flavors of Lancaster benefit, which will be held from 6 to 10
p.m. at the Eden Resort & Conference Center, Steffy said.
About 30 restaurants will participate and provide bite-size foods to help the organization meet
its $3,000 goal.
Marion Courtroom owner Mike Geesey said guest chef nights are a phenomenon that started
about 15 years ago.
"A lot of times, charities will come in soliciting us for donations," he said. "We figured, 'Let's
do a guest chef night to help them raise money.' It's worked out real well. Some of them really
make it an event."
One organization combined its guest chef night with a silent auction and a 50/50 raffle,
Geesey said.
"They made almost $10,000," he said. "They didn't make that much from the menu items, but
combined with the other activities, they made out pretty good."
Marion Court Room's guest chefs won't actually be cooking, Wednesday, but they'll be
helping all the same, Geesey said.
"We divide the specials among the crew and cook it for them," Geesey said. "But they help
me keep people calm while they're waiting for their food, which is important. They can
become pretty hectic nights."
Dinner reservations for MHA's Guest Chef Night are highly recommended and can be made
by calling Marion Court Room at 399-1970.
Justin Quinn's e-mail address is jquinn@lnpnews.com.

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9/25/2006 10:03 AM

April 06, 2006


Thursday
All Day

LGH Psychiatric Ward 8 East -- North Duke Street, Lancaster, PA 17602


Please See Above

3:00 PM - 3:30 PM

LGH - Mailed Coninuance Motions to Judge McLaughlin and Judge Fehling -- Lancaster General Hospital

April 07, 2006


Friday
All Day

LGH Psychiatric Ward 8 East -- North Duke Street, Lancaster, PA 17602


Please See Above

9:00 AM - 10:00 AM

Conestoga Speeding Tickets & Inspection Hearing -- 25 E. State Street, Quarryville, PA 17566 786-1246

This court has received your plea of NOT GUILTY to the above summaly
violation(s). The sum of $ 112.50
has been accepted as collateral for your appearance at trial.
Your trial has been scheduled as follows: PLEASE TAKE NOTE WHERE
BEARING WILL BE HELD.
You have the right to be represented by an attorney. You have the
right to have any witnesses present. It is your
responsibility to notify your attorney andlor witnesses of this trial
date and time.
Date: 4/07/06
Time: 9:00 AM
Should you fail to appear for your trial, a warrant may be issued for
your arrest.
Place: DISTRICT COURT 02-3-04
25 E. STATE STREET
QWARRMLLE, PA 17566-1246
717-786-7368
Failure to appearior your trial shali constitute consent to triai in
yirur absence and if you are iound guilty, the collateral
deposited shall be forfeited and applied toward the fine and costs.
You shall have the right to appeal within thirty days
for a trial de novo.
If you have any questions, please call the above office

6:00 PM - 7:00 PM

Sheryl at Trump's Taj Mahaj Atlantic City -- Atlantic City, NJ

April 08, 2006


Saturday
All Day

LGH Psychiatric Ward 8 East -- North Duke Street, Lancaster, PA 17602


Please See Above

11:30 AM - 1:30 PM

Fox News' Sean Hannity is coming to town April 8 -- Willow Valley Resort Inn

Consider Katie True an inspiration.


The 41st District state legislator will be honored this week as one of "Six Inspirational Women
of Pennsylvania" by the Pennsylvania Commission for Women, which True once headed.
The award will be presented at 10 a.m. Wednesday at the Commonwealth Keystone Building
in Harrisburg.
True, who's running for her third term, so far without opposition, said Rep. Jackie Crahalla, RMontgomery County, nominated her for the Women's History Month award.
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April 08, 2006 Continued


Saturday
Last week, True was losing her voice, but she's been heard loud and clear on the topic of
legislative reform.
True is an original member of the Jefferson Reform Initiative, a group of lawmakers -- now
about 23 strong -- promoting a package of bills to change the way the General Assembly does
business.
The outcry over the July pay raise, later repealed, proved to be a catalyst for the reform
caucus, which has taken aim at the control of the legislative process held by House
leadership.
Among the proposals: enact a lobbyist disclosure bill; set term limits for committee chairmen;
prohibit substantive amendments to bills in the Rules Committee, which leadership controls;
reconsider the "sine die," or lame-duck, session held between the November legislative
election and session adjournment; amend the slots law to close loopholes, including the 1
percent legislative ownership provision; and consider a constitutional convention to address
shrinking the size of the Legislature.
House Speaker John Perzel, R-Philadelphia, has called for a special committee to draft the
lobbyist legislation; advocates of disclosure fear he's trying to short-circuit the bill.
True is particularly interested in limiting chairmen's terms, an unpopular concept in senioritybound Harrisburg.
The point of the reform agenda is to "restore the public's shattered confidence in the General
Assembly," according to a letter that True and six other House members sent to their
colleagues in November seeking support for the proposals.
"The Jefferson Reform Initiative seeks to reverse the concentration of power in a few and
distribute it to the benefit of all members and the constituents we represent."
lTimothy L. Callahan, the endorsed Democrat in the 97th state House district, kicked off his
campaign last week at the Jewish Community Center in Manheim Township.
"In Harrisburg, legislators of both parties participate in the illegal pay grab," he said at the
kickoff. "We see that legislators have not seen fit to raise the state's minimum wage from
$5.15 an hour in nine years. ... I run for representative with the very deep belief that we can
and must do better."
lMike Folmer, challenging state Sen. Chip Brightbill in the 48th District GOP primary, said last
week that he will take his message "to the people" after the Lebanon County Republican
Committee endorsed Brightbill.
"Unfortunately for the leadership of the Republican Party, by endorsing my opponent, they
must now explain to rank-and-file Republicans why they should vote for a candidate who has
voted to increase taxes by $7 billion while allotting himself a $100,000 salary, free health care
and a pension increase of 50 percent," Folmer said.
lThe Lancaster County Democrats' executive committee has waded into the fight over raising
the minimum wage in Pennsylvania, adopting a resolution Thursday calling for a minimum
wage "that sustains healthy family life." The Democrats said the federal poverty line for a
family of three is $16,090, while one full-time minimum-wage earner "would fall well below
that level to $10,700." The minimum wage is $5.15 an hour; Gov. Ed Rendell proposes
raising it to $6.25 this year and $7.15 in 2007.
lMark your calendars, Republicans: Fox News' Sean Hannity is coming to town April 8 on
behalf of U.S. Sen. Rick Santorum. Scott Martin, co-chairman of Santorum's Lancaster
County campaign, said Hannity will appear at a luncheon at Willow Valley Resort. For
information, check out www.goplancaster.com or call 392-4165.
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April 08, 2006 Continued


Saturday
lCasinoFreePA, a statewide coalition opposed to legalized gambling, will hold its own public
hearing on a bill that would repeal the slots law at 10 a.m. March 6 at Grace Methodist
Church, 216 State St., Harrisburg.
"With all the criticism our General Assembly has taken for passing both the slots law and its
infamous pay-raise bill in unconstitutional fashion, we thought the House would at least agree
to hold a public hearing on a slots repeal bill," said CasinoFreePA coordinator Dianne Berlin
of Penryn. "Since the House has declined to do so, we've decided to hold our own."
lPedro A. Corts, secretary of the Pennsylvania Department of State, has been named a
public policy fellow at Franklin & Marshall College. The Pennsylvania Public Policy Fellow
Program is administered by the Center for Politics and Public Affairs in the Floyd Institute.
Corts is the first confirmed Latino Cabinet member in Pennsylvania history.
For the rest of the year, I'm dedicating space to the "Noah Wengerism of the Week."
The quotable 36th District senator is retiring at the end of the year. We'll miss lines like this
one, delivered Friday at the United Way's legislative breakfast, on the challenges of funding
programs for senior citizens:
"Especially when you get to be my age, you're pleased that people are living longer."
Helen Colwell Adams is the Sunday News political writer. E-mail her at
hcolwell@lnpnews.com, or phone 291-4962.

April 09, 2006


Sunday
All Day

LGH Psychiatric Ward 8 East -- North Duke Street, Lancaster, PA 17602


Please See Above

April 10, 2006


Monday
12:00 AM - 12:00 AM

LGH Psychiatric Ward 8 East -- North Duke Street, Lancaster, PA 17602


Please See Above

9:00 AM - 9:30 AM

Lancaster General Hospital Missing Mail

Civil Action Complaint given to Staff to mail at 1:00am missing, rest of mail shown to me and
was never mailed.
10:00 AM - 10:30 AM

Dr. Pressley 2nd Opinion Dr. Bill

Met with Dr. Bill, would not answer question regarding verifying 302 Order.

April 11, 2006


Tuesday
All Day

Advanced Media Group

Jduge Anita Brody Appeal to Fulton Bank Stay Entered -- Philadelphia, PA

129

9/25/2006 10:03 AM

April 11, 2006 Continued


Tuesday
1:00 PM - 1:30 PM

Judge McLaughlin Order for Continuance to May 11

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
Stanley J. Caterbone

CIVIL ACTION

V.
LANCASTER COUNTY PRISON, ETEL.

NO. 05-2288

ORDER
AND Now on this day 11th of April 2006, upon consideration of the plaintiff's Notice for
Continuance (Doc. No. 22), IT IS HEREBY ORDERED that the case shall be placed in civil
suspense until May 11, 2006

BY THE COURT:
_________________________
MARY A. McLAUGHLIN, J.

ENTERED 12 2006
CLERK OF COURT (Stamp)

1:00 PM - 1:30 PM

Judge McLaughlin Order for Continuance to May 11

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
Stanley J. Caterbone

CIVIL ACTION

V.
LANCASTER COUNTY PRISON, ETEL.

NO. 05-2288

ORDER
AND Now on this day 11th of April 2006, upon consideration of the plaintiff's Notice for
Continuance (Doc. No. 22), IT IS HEREBY ORDERED that the case shall be placed in civil
suspense until May 11, 2006

BY THE COURT:

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9/25/2006 10:03 AM

April 11, 2006 Continued


Tuesday
_________________________
MARY A. McLAUGHLIN, J.

ENTERED 12 2006
CLERK OF COURT (Stamp)

April 12, 2006


Wednesday
11:00 AM - 11:30 AM

Start Nextel Phone Service -- Park City Shopping Center, Lancaster, PA

4:00 PM - 4:30 PM

Sent Transcript to Judicial Conduct Review Board -- Harrisburg, PA

COMMONWEALTH OF PENNSYLVANIA
JUDICIAL CONDUCT BOARD
PENNSYLVANIPAL PLACE 301 CHESTNUT STREET SUITE 403.
HARRISBURPG, PA, 17101 717-234-7911

March 27,2006
Stanley Caterbone
220 Stone Hill Road
Conestoga, PA 17516
RE: Judicial Conduct Board Complaint No. 05-256
(Magisterial District Judge Leo H. Eckert, Jr. - Lancaster County)
Dear Mr. Caterbone:
The Board is presently reviewing your complaint.
In your complaint, you state that you secured a court reporter to transcribe the
hearing on your citation for Harassment held on May 10,2005. As your complaint
claims that District Judge Eckert displayed improper demeanor toward you at that time,
the Board is requesting that you provide a copy of the transcript for review.
As you privately arranged for a reporter, the transcript is not a part of the official
district court file. Therefore, the Board cannot obtain it on its own. Since you did not
include a copy with your complaint, I am requesting that you provide it at this time.
Please provide the additional requested information to the Board within
thirty (30) days from the date of this letter.
I remind you the Pennsylvania Constitution provides that all proceedings of the
Board are confidential except when the subject of the investigation waives
confidentiality. Pa. Const. Art. V, 418(a)(8). The Board cannot provide status reports of
its investigation; however, you will be notified of the Board's decision on your complaint
following appropriate review.
Very truly yours,
FJP I1 Deputy Chief Counsel
All Complaints of the Board are not public information and all proceedings relating to a
complaint are confidential and the records of any deliberations shall be confidential.
See Pa Const Article V and 18

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9/25/2006 10:03 AM

April 13, 2006


Thursday
7:00 PM - 7:30 PM

Sheryl left Kennett in Jeep -- Kennett, MO

April 14, 2006


Friday
11:00 AM - 12:00 PM

34 Foot Admiral Holiday Rambler -- Melot Brothers, Willow Street, PA

Test Drove 30 foot


9:00 PM - 12:00 AM

Bellvedeere Inn -- Queen and James St, Lancaster

Out with Sheryl (Washington D.C.) sheryl gets room and goes out. Someone again accosts
her from her room.
9:00 PM - 11:00 PM

The Sharks Live -- The Village, Lancaster

Walked in and wanted to pay for ticket, said wanted to see Gus and walked into Village.
Dave and Heather, Ken Ray & Carol, Den Lilly, Kratzert, Suzanne Porter,Brett, Fred, Billy T.
Joe Klaus,

April 15, 2006


Saturday
12:00 AM - 2:00 AM

Bellvedeere Inn -- Queen and James St, Lancaster


Please See Above

April 16, 2006


Sunday
12:00 AM - 12:30 AM

George at Village Would not let me back in. -- Village Nightclub, Christian Street,Lancaster, PA

Said about ticket, and he would not let me pay him for the ticket.

April 17, 2006


Monday
5:00 PM - 5:30 PM

Cable Disconnected Paid Comcast at Office -- 1130 N. Duke Street, Lancaster, PA

All Cable disconected at telephone pole.


Sov Bank Project Hope Check #129
Susan Gibson would not turn cable and internet on. Said I had to pay $990.42

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9/25/2006 10:03 AM

April 17, 2006 Continued


Monday
April 18, 2006
Tuesday
All Day

Comcast Suit Fax to Anita Brody

Re: Civil Action 05-2288


The 5 page fax you sent through eFax.com to 12155802356
was successfully
transmitted at 2006-04-19 00:28:29 (GMT).
The length of transmission was 96 seconds.
The receiving machine's fax ID: .
___________________________________________________________________________
_______________
"for your information"..
Attachments: Comcast Suit, Order of Arpil 10
7:30 AM - 8:00 AM

Gave Dorny Ride to Truck -- Central Manor Road

7:30 AM - 8:00 AM

Millersvile Boro Police Report 872-4657 -- Millersville Boro Police Dept Precint

Patrolman Michael K. Schaeffer, who took report on


MU-00509

gave me incident no. 2006-

Phone 717-872-4657
Fax 717-872-4705
10 Colonial Avenue
Millersville, PA 17551
1:00 PM - 1:30 PM

Comcast Suit -- AMG Office

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Stanley J. Caterbone
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania
V

:
:
:
:

Comcast Cable
4008 N. Dupont Hwy
New Castle, DE 19720
Comcast Cable
Susan Gibson
1113 South Duke Street
Lancaster, PA 17602

STATE OF PENNSYLVANIA
Advanced Media Group

:
:
133

9/25/2006 10:03 AM

April 18, 2006 Continued


Tuesday
COUNTY OF LANCASTER

: ss

___________________________________________________________________________
______________________

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

COMPLAINT

Defendant did knowingly and willingly obstruct the plaintiffs fair access to the courts. Plaintiff
extorted $990.46 on April 17, 2006. Plaintiffs current chapter 11-bankruptcy petition protects
the plaintiff from the malicious interruption of services. Such said services were requited for
plaintiff to communicate with the courts, both Federal and State civil courts, and to continue
his due process of the law.
Plaintiff Account Number:

09549 200389-10-4

Plaintiff seeks trial by jury and damages in excess of $7500.00

Dated: April 18, 2006

__________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax

___________________________________________________________________________
_______________________

COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
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9/25/2006 10:03 AM

April 18, 2006 Continued


Tuesday
LANCASTER COUNTY

CERTIFICATE OF SERVICE

Stanley J. Caterbone represented by Stanley J. Caterbone


220 Stone Hill Road PRO SE
Conestoga, PA 19516
Schedule F
Addendum to Add Creditors to Schedule
Service To:
Comcast Cable
4008 N. Dupont Hwy
New Castle, DE 19720
Comcast Cable
Susan Gibson
1113 South Duke Street
Lancaster, PA 17602

Certificates of Service were sent by United States 1st Class Mail on April 22, 2006.
By, ________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax

2:00 PM - 3:00 PM

Lancaster County Assistance Application -- Manor Street, Lancaster, PA

Applied for Food Stamps


5:00 PM - 5:30 PM

Pham Computers -- Lititz Pike

Said could not order Avaratec Power cord, said it might be internal power supply.
9:00 PM - 9:30 PM

Priority Mail Wcrow & Daile High -- Harrisburg Pike

Priority mail transaction No. 72


USPS 414408-9550
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
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9/25/2006 10:03 AM

April 18, 2006 Continued


Tuesday
April 17, 2006
Mr. Dale High
High Industries
1853 William Penn Way
Lancaster, PA 17601
Dear Dale:
How much is that shovel going to be worth? Guess the Convention Center is still a pain in
your backside, and its been almost a year since you said that.
I have another issue. I recently had a problem booking a reservation in your new Marriot.
Nevin directed me to discuss this issue with Beth Reese of the Hotel group. Last week I was
escorted out of the Marriott, while leaving a message for Beth Reese at the front desk.
I was checking my email, by the way, I really like the open business center, and your
management team ordered me off the property. When I would not leave right away, an East
Lampeter Township Policeman escorted me out of the lobby.
I just wanted to alert you of this situation, and wanted to get together to find out if I am or am
not allowed on your property.
Hope to see the ground breaking soon.
Stan J. Caterbone
___________________________________________________________________________
__________________________April 18, 2006
Wendell Crow
308 First St
Kennett, MO 63857-2055
(573) 888-4664
Dear Wendell;

I hope things are settled down for you. I need to know if you ever received the CDRoms that I sent to you, for Sheryl.
Could you please mail everything to Sheryl via priority mail, after you have copied them?
And could you please mail me a copy of the document you prepared?
Sorry for the problems. Please let me know that you sent the items to Sheryl.
Stan
___________________________________________________________________________
___________________________

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136

9/25/2006 10:03 AM

April 19, 2006


Wednesday
5:00 PM - 5:30 PM

Pres Bush Email -- 220 Stone Hill Road

From : Advanced Media Group <amgroup01@msn.com>


Sent : Wednesday, April 19, 2006 4:58 AM
To :
<comments@whitehouse.gov>
Subject :
Re Sheryl, we have a problem!
_____

See Federal Civil Action No. 05-2288


Sent February 19, 2005
"To: President George W. Bush
From: Mr. Stan Caterbone <amgroup01@msn.com>
Subject: Write a Supporting Comment on National Security (Iraq)
Dear President Bush:
Dear President Bush:
I need to know if any information contained herein compromises the
security of the United States of America. I have been getting mixed
signals as to this question, and my life has been constantly
threatened because of this document. I would submit to a polygraph
to verify the credibiltiy of any of the facts contained in this
document. I was the sole author of this writing back in 1998.
If you believe that this document does threaten our Nationa Security,
I would like to personally deliver the accompanying information
assets to yourself or the National Security Agency upon request.
If you believe that this document does not compromise the National
Security in any manner, then I would ask that you uphold my civil
liberties in continuing my efforts to adjucate these matters and find
an opportunity for remedy in the appropriate court of law.
I remain,
Stan J. Caterbone
Sincerely,
Stan Caterbone
Address: 220 Stone Hill Road"
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9/25/2006 10:03 AM

April 19, 2006 Continued


Wednesday

April 22, 2006


Saturday
12:00 AM - 1:00 AM

Lancaster City Police Take My Keys -- Lancaster City Police Station, Chestnut Street, Lancaster, PA

Waslked in to get a copy of Littering Citation, (Rick) Desk Officer


began yelling at me and told me that I was driving while drinking,
even though my car was parked. Officer asked for my key after he
followed me out to my car, gave me a parking ticket for parking
infront of the Police sation, and would not let me get out of my car.
I gave him my key and he asked me if I was drinking, 6 drinks since
6:00pm. I requested a breathalyzer, and he said he did not need one
and they would impound my car until the next morning. I walked up to
House of Pizza, got a bottle of water and went back and sat in my car
until 1:00 am and got the spare key and drove home.

6:00 AM - 7:00 AM

Drove to get a paper.

Took a shower at Mom's house to go back to Lancaster City Police


Station for my Key and license.

10:00 AM - 11:00 AM

Lancaster City Police Station -- Chestnut Street

Went in to get license and key and Desk Officer (woman) kept yelling
at me and gave my key back and said I would have to come back tonight
to get my license back.
Told me to get out of station and never to
come back again!

10:30 AM - 11:30 AM

Lancaster County Library -- Duke Street, Lancaster City

Update calender and email.

Tried to lock me out of system.

April 23, 2006


Sunday
1:00 PM - 1:30 PM

Sports Authority Propane Lantern -- Red Rose Commons, Fruitville Pike, Lancaster, PA 17601

1 lantern
3 propane tanks
3 bags
30.42

April 24, 2006


Monday
2:30 PM - 3:00 PM

LiHeap Application -- CAP, S. Queen Street, Lancaster,PA

No More walkins, told to come back tommorrow


Lois Gascho on vacation out all week.

Advanced Media Group

138

9/25/2006 10:03 AM

April 25, 2006


Tuesday
8:00 AM - 9:00 AM

LiHeap Application -- Community Action Program, S. Queen Street, Lancaster

$600 from LiHeap, Bankruptcy papers faxed to PP&L;


Docket
Judge Anita Brody Order of Oct 5
PP&L to turn on Electric on Wed am.

9:00 AM - 9:30 AM

Reading Court Hearing Parking Meter

9:00 AM - 9:30 AM

Reading Court Hearing Parking Meter

1:30 PM - 2:30 PM

Lancaster County Library -- North Duke Street, Lancaster, PA

Got MSN Alert for Reading Parking Ticket Hearing, called District Justice in Reading

2:00 PM - 2:30 PM

FBI Internet Crime Unit -- Online

Reported calender hacked and alert for Reading Parking Ticket and Alert changed.

April 26, 2006


Wednesday
12:00 AM - 5:00 PM

Advanced Media Group

Judge Anita Brody Appeal Due

139

9/25/2006 10:03 AM

April 26, 2006 Continued


Wednesday
12:00 AM - 5:00 PM

Advanced Media Group

Judge Anita Brody Appeal Due

140

9/25/2006 10:03 AM

April 26, 2006 Continued


Wednesday
8:00 AM - 8:30 AM

Freemont Street -- lancaster, PA

Went home

10:00 AM - 10:30 AM

Sheryl Home Depot

10:30 AM - 11:00 AM

Lancaster County Assistance Food Stamps -- Manor Street, Lancaster, PA

17603

Said denied last year because of resources (5,000 in bank, credit


card liability)
Said denied last year becasuse failed to show to interview.
Would not tell me how long to get food stamps

April 27, 2006


Thursday
2:30 AM - 3:00 AM

Advanced Media Group

District Justice Ballentine Caterbone v. Comcast -- 131 Locust Street, Lancaster, PA

141

17602-3609

9/25/2006 10:03 AM

April 27, 2006 Continued


Thursday
4:00 PM - 4:00 PM

Sheryl left for airport -- Kennett

April 28, 2006


Friday
3:00 AM - 3:30 AM

Amended LGH & Southern Regional Police Department -- Lancaster County Courthouse

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
COUNTY OF LANCASTER
CIVIL DIVISION

Stanley J. Caterbone
Advanced Media Group

CIVIL COMPLAINT CI-06-03349


CIVIL DIVISION

v.

Dr. Emily Pressley, Psychiatric Department


Ward 8 East
Lancaster General Hospital
320 North Duke Street
Lancaster. PA 17602
Lancaster General Hospital
320 North Duke Street
Lancaster. PA 17602
___________________________________________________________________________
______________________

CIVIL COMPLAINT
1.

On April 5th, 2006, Defendants did falsely imprison Defendant at Approximately

3:15 EST at the emergency intake unit of the Lancaster General Hospital, Duke Street,
Lancaster County, Pennsylvania.
2.

Upon request, Agents of the Lancaster General Hospital failed to produce any

official documentation to support the apprehension of the Plaintiff or the holding of the
Plaintiff in said facility.
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9/25/2006 10:03 AM

April 28, 2006 Continued


Friday
3.

Defendants did open locking cell and plaintiff gain asked for documentation,

plaintiff walked out of the holding cell, and not documentation was produced, agent for
defendant picked plaintiff up and literally threw plaintiff back into holding cell.
4.

Between 3:30pm and 7:15pm Dr. Riley examined plaintiff by asking the following

questions:
a. Do you drink alcohol?
b. Do you take drugs?
c. May I listen to your heart and drugs?
The preceding examination took under 2 minutes and was not near sufficient for
the requirements as outlined in the 302 petition, whether legal or not.
5.

Mental Duress: Agents, employees, and staff of the Lancaster General Hospital

did engage in planned and occasional events to inflict, cause, and provoke extreme
mental duress.
6.

Agents, employees, and staff did obstruct justice and cause plaintiff to suspend,

neglect, and or cease all activities relating to CA 05-0288 and TMT 05-23059 in an overt
Page 1 of 2
___________________________________________________________________________
_________________________
attempt to interfere with Plaintiffs constitutional right to due process.
7. Agents, employees, and or staff did subject Plaintiff to a life threatening environment
when patient William X was intentionally given a ball point pen immediately after Angela
X administered a drug, and William X stood 1 foot away from Plaintiff and held ball point
pen as a knife. Plaintiff had to immediately remove himself from the immediate area.
Agents, employees, and or staff subjected Plaintiff to further harm by condoning and
further provoking situation. As of April l0th, 2006, Plaintiff is still falsely imprisoned.
8. Agents, employees, and or staff did take from Plaintiffs possession a white bank
envelope containing Seven Hundred and Forty-Three dollars ($730.00) which was not
included in Plaintiffs Possession Form.
Plaintiff requests trial by jury and seeks damages in excess of $10,000.00

Dated: April l0th, 2006


Advanced Media Group

_________________________________
143

9/25/2006 10:03 AM

April 28, 2006 Continued


Friday
Stanley J. Caterbone
Stanley J. Caterbone, Pro SE
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
Page 2 of 2
___________________________________________________________________________
___________________________
COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
LANCASTER COUNTY

CERTIFICATE OF SERVICE

Stanley J. Caterbone
Represented by Stanley J. Caterbone, Pro Se
Conestoga, PA 19516
717-431-8184 Phone
717-427-1621 Facsimile
amgroup01@msn.com Email

Service To:
Dr. Pressley, Psychiatrist
Lancaster General Hospital
320 North Duke Street
Lancaster, PA 17603
Dr. Pressley, Psychiatrist
Lancaster General Hospital
320 North Duke Street
Lancaster, PA 17603

Certificates of Service were delivered in person on April 27, 2006.


By, ________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone

____________________________________
________________________
EXHIBIT A
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April 28, 2006 Continued


Friday
___________________________________________________________________________
____________________
EXHIBIT B
___________________________________________________________________________
_____________________
EXHIBIT C
___________________________________________________________________________
__________________________
EXHIBIT D
___________________________________________________________________________
__________________________
EXHIBIT E
___________________________________________________________________________
___________________________
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Stanley J. Caterbone
Advanced Media Group
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania
NO.CI-06-03401

: CIVIL ACTION
:

CIVIL DIVISION

:
:

Southern Regional Police Department


Chief John A. Fiorill
Officer Buzzer
Officer Fedor
Southern Regional Police Department
3284 Main Street
Conestoga, PA 17516
STATE OF PENNSYLVANIA

:
:
:
:
: ss

COUNTY OF LANCASTER

___________________________________________________________________________
___________________________
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April 28, 2006 Continued


Friday
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

COMPLAINT

1. Libel: On several occasions officers did willfully and knowingly commit acts of libel
by verbally communicating and alleging plaintiff suffers from mental disorders without
merit and with malice with intent to cause harm to plaintiffs reputation; cause plaintiff
stress; cause harm to business affairs and to obstruct plaintiffs federal civil litigation.
2. Slander: Police Department did slander plaintiff and his business.
3. Harassment: Officers did harass plaintiff at plaintiffs home on several occasions.
4. Police Brutality: On several occasions officers did physically abuse plaintiff without
just cause and with malice.
5. Undo influence: Police Department is causing plaintiff problems and is obstructing
plaintiffs right to due process regarding his Federal Civil Action 05-2288 currently in
the United States Eastern District Court of Philadelphia Pennsylvania.
6. False Imprisonment: On April 5, 2006 Officer Buzzer did knowingly and willing falsely
imprison plaintiff and maliciously attack plaintiff and make false statements to
authorities and to Lancaster General Hospital.
7. Officer Buser was responsible for the envelope with $750.00 cash and therefore
committed a criminal offense of theft by deception.
Plaintiff seeks trial by jury and damages in excess of $10,000.

April 28th, 2006

Dated:

By, ________________________________
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1624
amgroup01@msn.com
Page 1 of 1
___________________________________________________________________________
__________________________
COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
LANCASTER COUNTY

CERTIFICATE OF SERVICE

Advanced Media Group

146

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April 28, 2006 Continued


Friday
Stanley J. Caterbone represented by Stanley J. Caterbone
Advanced Media Group
220 Stone Hill Road PRO SE
Conestoga, PA 19516

Service To:
William W. Cambell, Attorney of Record
303 West Fourth Street
Quarryville, PA 17366
717-786-4044 phone
717-786-1524 facsimile
For:

Southern Regional Police Department


Chief John A. Fiorill
Officer Buzzer
Officer Fedora
Southern Regional Police Department
3284 Main Street
Conestoga, PA 17516

Certificates of Service were personally delivered on April 28TH , 2006.


By, ________________________________
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1624
amgroup01@msn.com

11:30 AM - 12:00 PM

Lancaster County Courthouse Amended Lancaser General Hospital Civil Complaint -- 50 North Duke
Street, Lancaster, PA 17601

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
COUNTY OF LANCASTER
CIVIL DIVISION

Stanley J. Caterbone
Advanced Media Group
CI-06-03349

CIVIL COMPLAINT
CIVIL DIVISION

v.
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April 28, 2006 Continued


Friday
Dr. Emily Pressley, Psychiatric Department
Ward 8 East
Lancaster General Hospital
320 North Duke Street
Lancaster. PA 17602
Lancaster General Hospital
320 North Duke Street
Lancaster. PA 17602
CIVIL COMPLAINT

1.
On April 5th, 2006, Defendants did falsely imprison Defendant
at Approximately
3:15 EST at the emergency intake unit of the Lancaster General
Hospital, Duke Street,
Lancaster County, Pennsylvania.
2.
Upon request, Agents of the Lancaster General Hospital failed
to produce any
official documentation to support the apprehension of the Plaintiff
or the holding of the
Plaintiff in said facility.
3.
Defendants did open locking cell and plaintiff gain asked for
documentation,
plaintiff walked out of the holding cell,

4:00 PM - 4:30 PM

Service to Lancaster General Hospital -- 131 North Duke St. Lancaster,PA 17602

Emily at information desk, called to corporate, would not give me directions to department,
served 2 copies to LGH and Dr. Pressley
5:00 PM - 5:30 PM

Service to William Cambell of Southern Regional Police -- 131 W Fourth Street, Quarryville, PA

17

Left copy inside door. See pictures.


7:30 PM - 8:00 PM

Barnstormers Opening Game

April 29, 2006


Saturday
All Day

Tommy's Aniversary

Planted our garden.

May 01, 2006


Monday
8:30 AM - 9:00 AM

Totaro's Office, Lancaster County DA Office -- Lancaster County Courthouse

Requested meeting, told to write letter.


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148

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May 01, 2006 Continued


Monday
Obstruction of Justice
Southern Regional Police
Shellenberger
9:00 AM - 9:30 AM

Lancaster County Commissioners Office -- Lancaster County Courthouse

Copy of Letter to Henderson, tried to make appointment, staff said will not see me for
meeting.

May 02, 2006


Tuesday
4:00 AM - 4:30 AM

Millersville Boro Police Incident Report -- Manor Avenue Millersville, PA

Now, said cannot have incident report.

April 21, 2006

Advanced Media Group


Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516

Millersville Borough Police Department


Michael K. Schaefer
10 Colonial Avenue
Millersville, PA 17551

Re:Incident Report No. 2006-MV-00509

As per your instructions, I am hereby formally and officially requesting a copy of the
above incident report concerning stolen case for my current litigation with Lancaster
General Hospital (Docket No. CI-06-03401) and Southern Regional Police Department
(Docket No. CI-06-03401) both in the Commonwealth Court of Common Pleas.
Please mail or facsimile to (717) 427-1621.

Respectfully,

Stanley J. Caterbone, Pro Se


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May 02, 2006 Continued


Tuesday
4:30 AM - 5:00 AM

Lance Look alike peddling on near Penn Manor Middle School

12:30 PM - 1:00 PM

USPS Cyclist on River Road

3:00 PM - 3:30 PM

Danny Hershey -- Stehman Road

Talked to Danny for awhile; Gun Shop; told me about DA Detective M. Landis being a
"problem and a lunatic", kept telling me about him, said he lived near Dave on Slackwater
Road, asked if I was having a problem with Dave, and said he was a problem, asked if I
still worked there.

May 03, 2006


Wednesday
10:00 AM - 10:30 AM

Sheryl tried to go Home

11:00 AM - 11:30 AM

Talked to Chief Rochet via phone of Millersville Boro Police requested incident Report

Told me to call Sue Moyer of the Lancaster County DA office, would not give incident report

FAX COVER SHEET


TO
COMPANY
FAX NUMBER
FROM
DATE
RE

COVER MESSAGE
+1-7172953693
Stan Caterbone
5/03/06 9:28 AM
April 5 incident
You are lying Sir, there was a Millersville Boro Police
Cruiser that blocked me and pinned my vehicle against the
front bumper of the Southern Regional Police Cruiser. That
Millersville Boro Police Cruiser pulled diagonally on S.
Duke Street blocking the street. That Millersville Boro
Police Cruiser was white with sirens on the top. It was not
an unmarked car, as you stated to me today on the telephone.
The Millersville Boro Police Cruiser and the Southern
Regional Police Cruiser pinned my vehicle with thier bumpers
against my bumbers.
The incident report is for the report taken by your Officer
from me at your station for the stolen envelope with
approximately $740.00. It was last in my posession as you
and the other police emptied my pockets and put all of the
contets in the middle of the road on S. Duke Street, which
is in your jurisdiction, not Southern Regional Police
jurisdiction. The entire incident was recorded on my
Digital Audio Recorder, starting when Officer Buser was
chasing me on Kendig Road;
"Will someone put all of this stuff in a bag? I have money
right there.
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May 03, 2006 Continued


Wednesday
"I have money right there. In that envelope.
Okay. Yeah, its that envelope. ($743.00) ____________.
Theyre fine. The cops are fine."
I don't know what District Attorney Sue Moyer has to do with
a report of stolen property in your jurisdiction, and I
don't understand why your would put me in harms way by
telling me to go see the Southern Regional Police Department
about the stolen money in your jurisdiction. I will not see
Officer Buser, I am afraid to be in his presence, ever since
the altercations and his physicals threats dating back to
February of 2005.
Sue Moyer
Lancaster County District Attor
www.efax.com

2:00 PM - 2:30 PM

Called Frank McCabe of High Hotels

Would not grant a meeting, faxed my response to him

FAX COVER SHEET


TO
COMPANY
FAX NUMBER
FROM
DATE
RE

COVER MESSAGE
+1-7172934470
Stan Caterbone
5/03/06 1:59 PM
Todays Conversation
Mr. McCabe;
Attached are the 2 documents and correspondence emails that
lead me to the Marriot looking for Ms. Reese. I used the
computers to locate this email because I could not remember
her name. I assume that a meeting with Ms. Reese was a
civil and courteous way to resovle my issues. I did use
your computer to retrieve my emails, sorry for the
inconvenience and will gladly pay you for that use.
I have tried to contact Ms. Reese on several occassions,
without success. Please remember, it was Nevin that
suggested that I contact her in the first place.
I tried to handle my problem in the most civil and
professional manner possible, however it was you and your
contemporaries that were not civil.
Do you really believe that if everyone tells the same story
that it is the truth, as you just stated?
No wonder the Convention Center ordeal wasted some $8
million and 8 years without progress.
Sir, I question your integrety, your professionalism, and
your competence; and I would meet with you on any given day
Advanced Media Group

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May 03, 2006 Continued


Wednesday
to debate that statement.
You are lying about who harrased who, but then again, you
don't care as long as everyone believes the same lie.
Good Day, Sir
cc: Nevin Cooley
Mr. Frank McCabe
High Hotels
www.efax.com

May 04, 2006


Thursday
1:00 AM - 1:30 AM

Email to Michael Landis, Lancaster County Detective -- 50 N. Duke Street, Lancaster, PA

17602

I think it is the judicial branch of government, not the executive; but thanks for the information
anyway. I will handle the problem we discussed today in another manner. As I stated, I will
not put myself in harms way by going near Officer Buser of Southern Regional.
I will find another way to comply with the order and get fingerprinted elsewhere.

Advanced Media Group


Stan Caterbone
mailto: amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Fax: (717) 427-1621
Advanced Media Group
1:30 AM - 2:00 AM

Civil Complaint Pam Pflumm


AOPC 308A-05

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: Lancaster CIVIL COMPLAINT
Magisterial District Number:

02-2-06

MDJ Name: Hon

Leo H. Eckert, Jr.


Address: 841 Stehman Road
Millersville, PA 17551-9753
Telephone: (717)872-4361
PLAINTIFF: NAME and ADDRESS

Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
DEFENDANT: NAME and ADDRESS

Pamela Sue Pflumm


4538 Main Street
Conestoga, PA 17516
Docket No.:
Date Filed:
AMOUNT DATE PAID
FILING COSTS $ / /
POSTAGE $ / /
SERVICE COSTS $ / /
CONSTABLE ED. $ / /
TOTAL $ / /
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May 04, 2006 Continued


Thursday
Pa.R.C.P.D.J. No. 206 sets forth those costs recoverable by the prevailing party.
TO THE DEFENDANT: The above named plaintiff(s) asks judgment against you for $ together
with costs
upon the following claim (Civil fines must include citation of the statute or ordinance violated):

Unsworn falsification of statements to authorities relating to the 302 executed on April 5, 2006
and the following
incarcartion leading to the admission to Lancaster General Hospital.
Defendant did falsley provide a misleading statement to authorities with the intent to
malicously libel plaintiff.
I, Stanley J. Caterbone verify that the facts set forth in this complaint are true and correct to the
best of my knowledge, information, and belief. This statement is made subject to the penalties
of Section 4904 of the Crimes
Code (18 PA. C.S. 4904) related to unsworn falsification to authorities.
Plaintiffs
Attorney: Stanley J. Caterbone, Pro Se Address: 220 Stone Hill Road
Telephone: (717)431-8184 Conestoga, PA 17516

IF YOU INTEND TO ENTER A DEFENSE TO THIS COMPLAINT, YOU SHOULD SO NOTIFY THIS
OFFICE IMMEDIATELY AT THE
ABOVE TELEPHONE NUMBER. YOU MUST APPEAR AT THE HEARING AND PRESENT YOUR
DEFENSE. UNLESS YOU DO,
JUDGMENT MAY BE ENTERED AGAINST YOU BY DEFAULT.

If you have a claim against the plaintiff which is within magisterial district judge jurisdiction
and which you
intend to assert at the hearing, you must file it on a complaint form at this office at least five
(5) days
before the date set for the hearing.

VS.
(Signature of Plaintiff or Authorized Agent)

AOPC 308A-05

If you are disabled and require a reasonable accommodation to gain access to the
Magisterial
District Court and its services, please contact the Magisterial District Court at the
above address
or telephone number. We are unable to provide transportation.

2:00 AM - 2:30 AM

Sgt Buser Criminal Complaint emailed to Totaro for Approval


AOPC 411A-05 1-2

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF:Lancaster
Magisterial District Number:

02-2-06
MDJ Name: Hon

Leo H. Eckert, Jr.


Address: 541 Stehman Road
Millersville, PA 17551-9753
Telephone: (717)872-4361 Sgt Robert C. Buser
Docket No.:
Date Filed:
OTN:
Southern Regional Police Departmen
P.O. Box 254
Conestoga, PA 17516
Notice: Under Pa.R.Crim.P. 506, your complaint may require approval by the attorney for the
Commonwealth before it can be
accepted by the magisterial district court. If the attorney for the Commonwealth disapproves
your complaint, you may
petition the court of common pleas for review of the decision of the attorney for the
Commonwealth.

Fill in as much information as you have.


Defendants Race/Ethnicity

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May 04, 2006 Continued


Thursday
White Black
Asian Native American
Hispanic Unknown
Defendants Sex
Female
Male
Defendants D.O.B.
Defendants Social Security Number
Defendants SID (State Identification Number)

Badge 401-PA0363500
Defendants A.K.A. (also known as)
Defendants Vehicle Information
Plate Number State Registration Sticker (MM/YY)
Defendants Drivers License Number
State

I, Stanley J. Caterbone
(Name of Complainant-Please Print or Type)

do hereby state: (check appropriate box)


1. I accuse the above named defendant who lives at the address set forth above
I accuse the defendant whose name is unknown to me but who is described as
I accuse the defendant whose name and popular designation or nickname is unknown to me
and whom I have
therefore designated as John Doe
with violating the penal laws of the Commonwealth of Pennsylvania at Conestoga Township
(Place-Political Subdivision)

in Lancaster County on or about April 12, 2006


Participants were: (if there were participants, place their names here, repeating the name of
the above defendant)
Sgt. Robert Buser; Chief of Police Rocert of Millersville Boro;
Officer Eisenhower, West Lampeter Towship
Millersville University Police; Swat Team Officer;

PRIVATE
CRIMINAL COMPLAINT
COMMONWEALTH OF PENNSYLVANIA
VS.
DEFENDANT:
NAME and ADDRESS

(Above to be completed by court personnel) (Fill in defendants name and address)


(Continuation of No. 2)
AOPC 411B-05 2-2

Defendants Name:Sgt. Robert Buser


Docket Number:
2. The acts committed by the accused were:
(Set forth a summary of the facts sufficient to advise the defendant of the nature of the offense charged. A citation to the statute
allegedly violated, without more,
is not sufficient. In a summary case, you must cite the specific section and subsection of the statute or ordinance allegedly violated.)

Plaintiff finished filling his vehicle with gasoline at the Conestoga Wagon Store and went into
the store to
purchase a newspaper and pack of cigarettes. After returning to vehicle and pulling away,
plaintiff realized
that the gasoline pump was still in his vehicle, disengaging fuel pump. Plaintiff backed up and
restored the
pump to its proper position while a clerk came out. Plaintiff apolozied to store clerk and told
clerk to tell the
owner, Bill Rankin to call plaintiff if there was any damages. Plaintiff left store and proceeded
north on Main
Street. A Southern Regional Police cruiser passed plaintiff traveling south on Main Street.
Plaintiff
immediately turned around to see if the Conestoga Wagon store had placed a call about
previous incident.
Plaintiff pulled beside the Southern Regional Police cruiser and found the defendant, Sgt.
Buser in the
cruiser. Plaintiff rolled down window and asked "Is there a problem, did the Conestoga
Wagon just call
you?". Defendant said "Stan, I want to talk to you." Plaintiff told defendant that he was busy
and asked if he
was under arrest. Defendant again repeated, "I want to talk to you". Plaintiff again asked
Advanced Media Group

154

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May 04, 2006 Continued


Thursday
defendant if he had
an arrest warrant, and defendant would not respond. Defendant DID NO
Plaintiff pulled away from Defendant, enroute to the Lancaster County Courthouse to file a
Civil Complaint
against the Southern Regional Police Department, which was completed the evening before
and emailed to
the Lancaster County District Attorney, Donald Totaro.
Defendant followed Plaitiff on Kendig Road with sirens and lights on. Plaitiff immediately
turned on his
Digital Audio Recorder to make notes of incident. (Transcript is available).
Defendant filed a false statement to authorities and filed a Police Prosecution for Fleeing or
Attempting to
Elude Police Officer.
Plaintiff filed the Civil Complaint in the Lancaster County Court of Common Pleas against
Sgt. Buser and the
Southern Regional Police Department on April 11, 2006, the day after Plaintiff was
discharged from the
Psychiatric Unit of the Lancaster General Hospital, after completion of the 5 day rule.
All of which were against the peace and dignity of the Commonwealth of Pennsylvania and
contrary to the Act of
Assembly, or in violation of and
(Section) (Subsection)

of the
(PA Statute)

3. I ask that process be issued and that the defendant be required to answer the charges I
have made.
4. I verify that the facts set forth in this complaint are true and correct to the best of my
knowledge or information and
belief. This verification is made subject to the penalties of Section 4904 of the Crimes Code
(18 Pa.C.S. 4904)
relating to unsworn falsification to authorities.
May 4, 2006
Office of the Attorney for the Commonwealth Approved Disapproved because:
(Name of Attorney for Commonwealth-Please Print or Type) (Signature of Attorney for Commonwealth) (Date)

AND NOW, on this date , I certify that the complaint has been properly completed and
verified.
Signature of Complainant
(Magisterial District) (Issuing Authority)

SEAL
PRIVATE
CRIMINAL COMPLAINT
Date

3:00 AM - 3:30 AM

Fax to Jan McElworth of Kennett Chamber of Commerce

FAX COVER SHEET


TO
COMPANY
FAX NUMBER
FROM
DATE
RE

COVER MESSAGE
+1-5738889802
Stan Caterbone
5/04/06 4:03 AM
Sheryl Crow Stock Certificate
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155

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May 04, 2006 Continued


Thursday
As per our previous conversation, could you please confirm
the whereabouts of the stock certificate from my company
issued to Sheryl for a donation to Scout's Trail.
Also, could you please provide me with an update of the
progress of the trail project.
Sincerely,
Stan J. Caterbone
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 fax
amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Jan McElwrath
Kennett Chamber of Commerce
www.efax.com

May 05, 2006


Friday
8:30 AM - 12:00 PM

2006 Business Law Seminar: Lancaster -- Lancaster Country Club

2006 Business Law Seminar: Lancaster


Friday, May 5, 2006
8:30 a.m. - 12:00 p.m.; Lancaster Country Club
Please join us in Lancaster for this free half-day seminar featuring six insightful topics
affecting business executives.
More details coming soon.

May 07, 2006


Sunday
12:00 AM - 12:30 AM

Lancaster Airport

May 08, 2006


Monday
2:00 AM - 2:30 AM

Lancaster Aiport

11:00 AM - 11:30 AM

Ric Plum phone callHarleysville Insurance Company

Said he would overnight new affadavit, argued about why no one alerted about defficiencies

May 09, 2006


Tuesday
12:00 PM - 1:00 PM

shwartz

rumor, Tim Shwartz threatened my life and Sheryl's

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May 10, 2006


Wednesday
9:00 AM - 9:30 AM

Fulton Bank Commercial Loan Application -- Columbia Avenue

Branch Manager refused to provide application or any documentation


9:30 AM - 10:00 AM

Fulton Bank Commercial Loan Application -- Penn Square

Bill Dogherty, Branch Manager on 1st floor; would not provide me with an application.
Process was to provide financial statements; kept requested documentation as to application
and process, refused.
Advised the law of discrimination to all Fulton Bank emplyees.
11:00 AM - 11:30 AM

Ric Plum Harleysville Phone Call

Said did not mail it, would go out today, again lied.

May 11, 2006


Thursday
9:00 PM - 10:00 PM

Episode: Sheryl Crow, Wildflower Tour From New York

Show: Soundstage
Episode: Sheryl Crow, Wildflower Tour From New York
Network: (PBS) Public Broadcasting Service
Date: Thursday - May 11, 2006
Time: 10/9c PM
Duration: 1:00
About: Soundstage: Sheryl Crow, Wildflower Tour From New York
SOUNDSTAGE traveled from their home studios in Chicago, IL to New York City to capture a
special evening of intimate music by nine-time Grammy winner Sheryl Crow. Backed by a 16piece string section led by famed conductor David Campbell, the special provides an
extraordinary look at the many facets of Crow's career and talent.
In this exclusive performance, Crow performs songs from her critically acclaimed 2005
release, Wildflower, including the title cut, "Good is Good," and "Always on Your Side." She
also digs deep into her catalog with a few of the good-time rockers and profound ballads that
have made her one of the most popular mainstream rockers of the last decade, including "If It
Makes You Happy," "All I Wanna Do," and "Every Day is a Winding Road."
Since exploding onto the global pop stage in 1993 with the multi-platinum Tuesday Night
Music Club album, the one-time music teacher and studio vocalist has become one of the
most celebrated singer/songwriters in rock n' roll. However, with the release of Wildflower,
Crow took a dramatic new direction with a collection of introspective compositions, heavier on
string arrangements rather than guitar solos. In her second SOUNDSTAGE appearance,
Crow and string arranger Campbell, bring a new approach to viewers, who will see Crow as
they have never seen her before.

May 13, 2006


Saturday
12:00 PM - 12:30 PM

Judge Brody Brief filed -- USPS Harrisburg pike,lancaster,pa

Capt Palmer? Said he was Dick Shellenburgers brother-in-law, wanted to talk to me, kept
backing me up while trying to weigh envelopes, told him to get away, I was busy, walked
outside and waited, told him I was busy, (chlorophorme)

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157

9/25/2006 10:03 AM

May 15, 2006


Monday
11:30 AM - 12:00 PM

Availablity Staffing

Went to talk to Tony Spinello, would not meet, met with Amber.

May 16, 2006


Tuesday
5:00 PM - 5:30 PM

Judge Brody Brief Due

May 17, 2006


Wednesday
8:30 AM - 9:00 AM

FBI Harrisburg Office -- 238 Walnut St.,Harrisburg,PA

Obstruction of Justice Complaint


Travel to Washington DC
9:00 AM - 10:00 AM

Help Make LIVESTRONG DAY One to Remember

"It's time for our nation to address our issues. Together, we can
help change things for the better. As a team, we can make a
difference for survivors."
-Lance Armstrong
On Wednesday, May 17, you can help Lance and the LAF be a voice for
change. Thousands of people will take part in LIVESTRONG Day events
across the country to raise awareness of and bring attention to an
issue that impacts all Americans - cancer.
Whether in your local community or in Washington, D.C., you can
participate and help make LIVESTRONG Day one to remember. There are
three ways to participate:
*
Travel to Washington, D.C. on May 15-17, 2006. Two participants
from each state will be selected to attend LIVESTRONG Day events in
Washington, D.C.
*
Organize a LIVESTRONG Day event in your local community. To
organize a LIVESTRONG Day event, you will organize activities,
contact others in your area and be a point-of-contact for a local
event.
*
Participate in LIVESTRONG

1:30 PM - 2:00 PM

Senate Arlen Specters Office -- 711 Hart Building,Washington D.C.

Schedule appt.
2:00 PM - 2:30 PM

Senate Select Committee on Intelligence -- 211 Hart Building, Washington, D.C.

2 photographers take my picture outside Hearings


Gave phone number to call.
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May 17, 2006 Continued


Wednesday
FOXNEWS.COM HOME > POLITICS

Intel Panels Hear From NSA Director


Wednesday, May 17, 2006

WASHINGTON House

and Senate Intelligence


Committee panelists
heard Wednesday from
NSA Director Lt. Gen. Keith
B. Alexander on the
National Security
Agency's terrorist
surveillance program.
The sessions gave all
committee members
details that until now had
been told only to certain
members of the
committees and the
chambers' leadership.
The briefings were held the
day before the start of a
confirmation hearing for
President Bush's pick for
the next CIA director, Air
Force Gen. Michael
Hayden. The nominee oversaw the program as NSA chief between
1999 and 2005.
Alexander met with Senate committee members for about 45
minutes on Wednesday afternoon before the meeting broke up so
senators could go vote on immigration reform amendments. He then
briefed them some more before heading over to meet House
committee members. He returned to wrap up the meeting with
senators in the evening.
Sen. Evan Bayh, D-Ind., said after the first break that senators had
been given "quite a bit of information," but still more needed to be
discussed. "You never know what you don't know," he said of the
possible amount of material that could be disclosed.
(Story continues below)
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Sen. Ron Wyden, D-Ore., said his Wednesday session gave "new
meaning to the concept known as a cram course," and he remained
worried that "the country still is not seeing the necessary balance
between fighting terrorism and protecting people's privacy."
White House spokesman Tony Snow said President Bush agreed to
the briefing to oblige Sen. Pat Roberts, R-Kan., the Intelligence
Committee chairman, who "thought it was an uncomfortable
situation in which you would have had seven members fully briefed
on the program as they're getting ready to do confirmation hearings
and eight members not briefed.
"There was a strong sense that everybody needed to be read into
the program to do what they needed, in his opinion, to do to have a
full and appropriate confirmation hearing for General Hayden. And
we agreed with him," Snow said.
The sessions were focusing on programs detailed in recent news
reports that some U.S. phone companies provided customer call
records to the NSA, which set up a database to look for patterns that
could signal terrorist activity. Last year, leaks also revealed that the
NSA was conducting a terrorist surveilllance program in which it
was listening without warrants to phone calls between individuals in
the United States and abroad who were suspected of having links to
terror groups.
Reports said three of the nation's largest telecommunications firms,
BellSouth, Verizon and AT&T, all cooperated with the government in
handing over phone records for more than 200 million customers
combined.
But two companies BellSouth and Verizon have denied their
involvement in the program. All three companies are being sued for
$200 billion by consumers who say they have had their privacy
invaded. AT&T is also facing a lawsuit alleging that it illegally
cooperated with the NSA by making communications on AT&T
networks available to the spy agency without warrants.
Roberts wouldn't discuss specifics revealed in the news reports but
told FOX News the fact that the stories were published to begin with
is incredible to him, given that the information is highly classified. He
said the amount of leaks presents a real challenge to the U.S.
government's ability to protect the homeland.
"If you inform the American public and then it is broadcast and you
have misinformation about it and those of us who know the
difference can't say anything about it, it's a very troublesome thing.
I'll tell you one thing, (Usama) bin Laden, (Abu Musab al-) Zarqawi
and (Ayman al-) Zawahiri must be rejoicing," Roberts said of the
terror leaders.
Rep. Mike Rogers, R-Mich., a former FBI agent and intelligence
committee member, also would not elaborate on the briefings he
received but said of the phone records reports: "I can assure you
there are no customer records involved. None.
in elected office

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Economists wonder why Americans
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May 17, 2006 Continued


Wednesday
strong and not nearly ready to flame
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3 of 4 5/18/2006 2:19 AM
"I think it was inaccurately reported and completely overblown about
what is and what isn't available to the NSA," he said.
A former official familiar with NSA procedures, who spoke on
condition of anonymity, said that since the 1970s the agency has
made sure that when its systems collect information that is not
relevant to foreign intelligence investigations no person can access
it or use it in an inappropriate way.
The official said any information used by the agency would have
been traced back to terror suspects or their associates, not
information about Americans making doctor appointments or
ordering pizzas.
Hayden is expected to be questioned by the Senate Intelligence
Committee about the program from senators during his confirmation
hearing. However, with lawmakers being given classified details of
the programs ahead of that, they will be limited in what they can say
publicly. After the briefings, lawmakers are expected to speak to
reporters about their satisfaction with the details they were given.
Not all members of the intelligence committees had been briefed on
the programs details and other workings of the agency because of
concerns by the White House that information would be leaked from
a larger group. But Democrats said not informing the full
committees violates the 1947 National Security Act.
"The White House, for the first time, is showing signs that they are
serious about oversight of this program," said West Virginia Sen.
Jay Rockefeller, the intelligence committee's top Democrat.
Rep. Jane Harman, D-Calif., Rockefeller's House counterpart, said:
"It's a shame that it took an endangered nomination to make this
happen."
Meetings Declassified
Along with the decision to brief intelligence panel members, Director
of National Intelligence John Negroponte on Wednesday declassified
records of past briefings on NSA activities by administration officials
to members of Congress.
The declassification was requested by House Minority Leader
Nancy Pelosi. Attendance records for the 30 briefings show 95 total
visits among the 31 lawmakers who participated.
Pelosi, D-Calif., was briefed six times four times between
Advanced Media Group

161

9/25/2006 10:03 AM

May 17, 2006 Continued


Wednesday
October 2001 and June 2002, and twice in 2004.
One source told FOX News that Pelosi's briefings coincide with the
time during which the NSA was putting together its terrorist
surveillance program. The briefings she attended were on that
program alone and not other NSA programs.
Several officials, however, have said the relevant members of the
intelligence committees and the leadership have been briefed on
"the totality of what the NSA was doing."
"Committee members understand any and everything the NSA is
doing," said one official, adding that the dates show members were
being briefed during the "critical start up months of the program."
FOX News' Jim Angle and Wendell Goler and The Associated Press
contributed to this report.

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May 18, 2006


Thursday
2:00 PM - 2:30 PM

Roda & Nast -- Estelle Drive,Lancaster,PA

Visit and request meeting with receptionist or another attorney


2:30 PM - 3:00 PM

Availabity Staffing -- Columbia Avenue

Follow up with Amber, said she had someone else in office that could help find some parttime
consulting. Talked with . Did not even read resume, told him if he had a client that wanted
to increase profits to call me. Said only dealt with manufacturing, told him had experience,
American Helix

May 19, 2006


Friday
7:00 PM - 7:30 PM

Joe Pinto Meeting at Lancaster Clipper Stadium -- Lancaster, PA

Joe Pinto Lied


7:00 PM - 7:30 PM

Sheryl - Rainforest Benefit Concert with Sting - Canceled -- New York City

http://www.billboard.com/bbcom/news/article_display.jsp?
vnu_content_id=1002274275
March 29, 2006, 4:05 PM ET
Jonathan Cohen, N.Y.
Sting will be joined by recent duet partner Sheryl Crow and James
Taylor for the 2006 Rainforest Benefit. The event will be held May 19
at New York's Carnegie Hall and will feature additional performers to
be announced. Regular tickets will be available next month from the
Advanced Media Group

162

9/25/2006 10:03 AM

May 19, 2006 Continued


Friday
Carnegie Hall box office; special packages which include a post-show
dinner can be purchased by calling 212-247-7800.
Sting and Crow's new duet, "Always on Your Side," is No. 14 this week
on Billboard's Adult Top 40 chart and No. 19 on the Adult
Contemporary tally.
Meanwhile, Sting has drafted rock act Fiction Plane (fronted by his
son Joe Sumner) as the support act for all but five dates on his
summer European tour. As previously reported, the trek will begin
July 4 at the Rock in Rio festival in Lisbon and run through July 28
in Moscow.
Beforehand, Sting will drop by t

10:00 PM - 10:30 PM

Dave Pflumm and Brett Stabley

Thought they stole my wife

May 21, 2006


Sunday
2:30 PM - 3:00 PM

Harleysville Claim Priority Mail -- USPS Harrisburg Pike,Lancaster,PA

May 22, 2006


Monday
8:00 AM - 8:30 AM

Payments for Advanced Media Group

Vonage Phone 17.48


Rhapsody 9.99
Go to My PC 24.95
Ebay 15.95
Andale 16.95
Efax 10.00
Nextel 155.00

9:00 AM - 9:30 AM

Advance Media v. Mike, Stabley, Pflumm -- Lancaster County Court of Common Pleas

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION
Advanced Media Group
Stanley J. Caterbone
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania
V

:
:
:
:

Mr. David J. Pflumm


113 Slackwater Road
Millersville, PA 17551
Mr. Brett W. Stabley
143 West Main Street
Advanced Media Group

163

9/25/2006 10:03 AM

May 22, 2006 Continued


Monday
Strasburg, PA

15816

Alley Kat Restaurant


70 West Lemon Street
Lancaster, PA 17602
Mike Caterbone
122 Swan Avenue
Plantation, FL 33324

:
:

CIVIL ACTION NO.

STATE OF PENNSYLVANIA

:
:
COUNTY OF LANCASTER
: ss
___________________________________________________________________________
__________________________
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION
COMPLAINT
1. On several occasions DEFENDANTS did willfully engage in unlawful slander, libel,
and defamation of character of PLAINTIFFS at the establishment of the Alley Kat
Restaurant and Bar, and to other persons at various locations and through various
electronic communication devices, not limited to cellular and land line telephones.
2. DEFENDANTS continue to obstruct justice and interfere with PLAINTIFFS right to
due process concerning Civil Action 05-2288 in the United States District Court for
the Eastern District of Pennsylvania and Plaintiffs petition for Bankruptcy filed in the
United States Bankruptcy Court of Pennsylvania Case No. 05-23059 and
PLAINTIFFS Civil Action No. 06-1538 in United States District Court for the Eastern
District of Pennsylvania.
_____________________________
Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184
___________________________________________________________________________
_________________
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

CERTIFICATE OF SERVICE

Stanley J. Caterbone represented by Stanley J. Caterbone


220 Stone Hill Road PRO SE
Conestoga, PA 19516
Advanced Media Group

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May 22, 2006 Continued


Monday

Service To:
Mr. David J. Pflumm
113 Slackwater Road
Millersville, PA 17551
Mr. Brett W. Stabley
143 West Main Street
Strasburg, PA 15816
Alley Kat Restaurant
70 West Lemon Street
Lancaster, PA 17602

Certificates of Service were sent by United States 1st Class Mail on May 22, 2006.

By, ________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone, Debtor
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184

12:00 PM - 12:30 PM

PA Insurance Complaint

Agent is not processing above claim and keeps lying to me. After I
submitted claim forms and did not hear from him, I called him and he
said that a sworn and notorized affadavit required embossed seal from
notary, proved that was not the case. Then he said that he could not
accept a copy of the affadavit and said he needed to resend the claim
form. He did not send the form when he said. Then he said he Chief
Fiorill of the Southern Regional Police Department gave him past
dates of reported thefts, yet he will not forward a copy of any
incident reports from the Southern Regional Police Department. Rick
Plum forwarded claim forms for past reported thefts with this claim
and keeps trying to tell me to file claims for all past dates dating
back to 2002. Today I said that I sent in the required claim forms
for the dates of March 26 and April 12 of 2006 (Priority Mail - US
Post Office Harisburg Pike,Lancaster,PA May 21, self service kiosk),
and he keeps telling me to file claims for pa

12:00 PM - 12:30 PM

PA Insurance Complaint

Agent is not processing above claim and keeps lying to me. After I submitted claim forms and
did not hear from him, I called him and he said that a sworn and notorized affadavit required
embossed seal from notary, proved that was not the case. Then he said that he could not accept
a copy of the affadavit and said he needed to resend the claim form. He did not send the form
when he said. Then he said he Chief Fiorill of the Southern Regional Police Department gave
him past dates of reported thefts, yet he will not forward a copy of any incident reports from the
Southern Regional Police Department. Rick Plum forwarded claim forms for past reported
Advanced Media Group

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9/25/2006 10:03 AM

May 22, 2006 Continued


Monday
thefts with this claim and keeps trying to tell me to file claims for all past dates dating back to
2002. Today I said that I sent in the required claim forms for the dates of March 26 and April
12 of 2006 (Priority Mail - US Post Office Harisburg Pike,Lancaster,PA May 21, self service
kiosk), and he keeps telling me to file claims for past dates, yet he said he did not recive any
police reports from Southern Regional.
Today I discovered that someone had stolen the file containing all of the forms and copies of the
claims for the dates for the above. I just called 911 to report theft to Southern Regional Police
Department, and no one responded.

May 23, 2006


Tuesday
1:30 PM - 2:00 PM

Email Convention Center Recommendations from March 2005

MSN Hotmail - http://by104fd.bay104.hotmail.msn.com/cgi-bin/getmsg?curmbox=...


1 of 2 5/24/2006 4:32 AM
amgroup01@msn.com Printed: Wednesday, May 24, 2006 4:32 AM
From : Advanced Media Group <amgroup01@msn.com>
Sent : Tuesday, May 23, 2006 1:21 PM
To :
"Bargain Land " <shipping@bargainland.net>, "Daniel Berger " <danielberger@comcast.net>, "Deddy "
<deddy@cityoflancasterpa.com>, "endofauction" <endofauction@ebay.com>, "GGordon"
<GGordon@fult.com>,
"High Group" <nfo@high.net>, "Lancaster County Commissioners " <McCueA@co.lancaster.pa.us>,
"Lancaster Intell"
<IntellLetters@lnpnews.com>, "Lancaster New Era" <neweraLetters@lnpnews.com>, "Mike Caterbone
"
<mtciidd@aol.com>, "Owen Kugel " <owenrkugel@juno.com>, "Patrice Dixon "
<HSDuncan@juno.com>, "Patrick
Snyder " <psnyder@uncb.com>, "Pete Horn " <Rhino1818@aol.com>, "Phil "
<caterbone@sbcglobal.net>, "Phyllis
Crews " <Phyllis.Crews@richardson.k12.tx.us>, "Ray Sawiski " <rsawicki@decommunications.com>,
"Stan Caterbone
" <amgauctions@comcast.net>, "Sunday Newspapers" <sunnews@lnpnews.com>
Subject : Downtown Convention Center March 2005 Recommendations
www.amglobalentertainmentgroup.com
March 16, 2005 Downtown Convention Center Recommendations
Following the Veto by the School District of Tiff Financing
Recommendations
Move the Convention Center & Hotel to the Brunswick Hotel
A Smaller Convention Center WILL Provide As Much Economic Stimulus to the Revitalization of
Downtown Lancaster as a LARGER Convention Center
Convention Center Could Be Completed In 18 to 24 Months and Should Be Built with Dual Use
Design Plans Arena & Events
Smaller Exhibit Area Coincides With Current Industry Trends
Technology Will NEVER Replace the Need for Human Interaction in the Business and Academic
Arenas Conventions May Become Smaller But Not Obsolete
Far Less Economic, Financial, and Development Risk
Smaller Hotel Would Provide More Overflow To Other County Hotels
Utilize a Mixed-Use Development for the Watt & Shand Building
Feature a Hard Rock Cafe, Entertainment Venues, Shops,
Offices, restaurants, and Condominiums
2 Revitalized Major Downtown Structures for 1/2 the Cost of the Current Convention Center Budget
of $129 million Which Will Probably Grow to Over $150 million
Preliminary Estimate of $60 to $80 Million Dollars For Both Projects
Ability to Fast Track Both Projects Within Shorter Timeline
All Parties And Principals Could Remain the Same or Attract New Investors
Increased Tax Revenues for the School District of Lancaster
Completes The Comprehensive Plan For Major Structures
Returns The Project To The Original Plan Outlined In The 1998 Lancaster Economic Development
Advanced Media Group

166

9/25/2006 10:03 AM

May 23, 2006 Continued


Tuesday
Plan For The Revitalization Of Downtown Lancaster
Why This Project Will Be Successful
4 Star or Best Upgrade Available for Hotel Will Make It The Anchor for the Project
No Other Facility In Lancaster County Near This Type of Accommodation
Prices Will Be Reasonable and Acceptable To Corporate Fiscal Policies
The Convention Center Will Only Have To Be A Marginal Success for the Project to Operate profitably
and to succeed in being the catalyst for Downtown Revitalization
Franklin & Marshall (F&M) Will Utilize the Hotel Instead Of Building Their Own Hotel
F&M has the Potential To Fill Approximately 20% Vacancy Per Year or More
There are Major Fortune 500 Companies With Local Overnight Business Activities
There are Several Major Defense & Government Contractors With Local Overnight Business Activities
There are Several Major Institutions of Higher Education With Local Overnight Business Activities
Success of the Lancaster Barnstormers & Clipper Magazine Stadium will Provide Stimulus and is a
Prime Example of How a Major Structure can Effect and Provide the Impetus to Revitalize the
Surrounding Areas
Respectfully,
Advanced Media Group
Stan Caterbone
www.amgglobalentertainmentgroup.com
amgroup01@msn.com
Fax: ( 717)-427-1621
Phone (717)-431-8184
Our Capabilities in Research, Analysis, and Forecasting Have Been Used by U.S. Government
Agencies. These
conclusions were the result of meetings, discussions, and communications with the following
stakeholders: Mayor Charlie
Smithgall, Dale High, Nevin Cooley, Molly Henderson, SDL, Fulton Bank, Marlin Thomas (Willow
Valley), Lancaster City
Council, County Commissioners, Lancaster Newspapers, Tom Baldridge, Rick Grey, 5th Estate,
Talkback Discussion
Board, Howard Sanders, Lancaster Newspapers, April Kopenhaver of LancasrterFirst.org and many
Lancaster city and
county taxpayers.

2:00 PM - 3:00 PM

Appeal Reading Parking Tickets -- Court of Common Pleas, Court St.,Reading, PA

Filed appeal and Forma Papaus to Appeal Reading Traffic Tickets


5:00 PM - 5:30 PM

Convention Over Budget Lancaster New Era -- Lancaster County, PA

Lancaster New Era: Center bids $25M over budget


http://eedition.lancasteronline.com/pages/news/edition/NEPM/200...
1 of 3 5/23/2006 8:19 PM
Center bids $25M over budget
Hotel/convention center construction costs could be 30% higher than expected. Developers call
increase "significant," but say they're still positive. Opponents say it's time to "refocus on new project."
By TOM MURSE, New Era Staff Writer
The lowest bids for construction of a planned hotel and convention center in Penn Square are more
than $25 million over
budget, double what had been estimated last week. The cost of buying materials such as steel, tile and
wood paneling, and of
hiring the plumbers, electricians and carpenters could be at least $108 million, the master developer
said. That's $25.4 million
more, or nearly 31percent higher, than the $82.6 million budget for such work on the downtown
Lancaster project, according to
figures provided by High Real Estate Group.
The stunning amount of the bids, opened earlier this month, represents perhaps the biggest obstacle to
date for the developers, who have portrayed the project as a catalyst for the city's rebirth. "I think it is
significant," said Tom Smithgall, vice president of
High Real Estate. "But we've had other challenges on this project. We had three and a half years of
legal challenges, pricing challenges, delays, county commissioners who don't want the project -- I'd call
that significant, too." "We're still positive. We're going to get this thing back in shape so we can
proceed as planned," Smithgall said. "I don't think I've ever been involved with a project where
construction bids match up perfectly with your budget. You just have to make adjustments and go from
Advanced Media Group

167

9/25/2006 10:03 AM

May 23, 2006 Continued


Tuesday
there."
Those who have raised serious questions about the project, however, see the work bids as further proof
that the price tag -and associated risk to taxpayers -- far outweighs the benefit to Lancaster New Era: Center bids $25M
over budget "I have been watching this project continue to spiral to an exorbitant level," said county
Commissioner Molly Henderson. "I do not see how, at that level, there can be alterations made that
would keep the quality which was promised. "People came into this project with very good intentions for
community service," Henderson said. "But I think the time to redirect is here. I would ask the individuals
involved, privately, and other public officials to join together to refocus on a new project."
Lancaster Mayor Rick Gray would not say whether he believes it is now time to abandon the project
given the apparent high cost
of construction. He said he was disappointed, but not surprised, by the bid amounts. "Just from what
everyone's been saying about the cost of construction and what-not, I assumed they would be over
budget," Gray said. Even if contracts were awarded to the low bidders, the project price tag would jump
to nearly $164.6 million from its current $140 million when costs such as site acquisition and financing
are factored in. Even without the new bids factored in, though, the project has nearly doubled in price
since it
was first proposed, in 1999, at a cost of $75 million. "We're not jumping to any conclusions right now,
but taking a look at it, in the
administration, internally, to determine the effect of the bids on the convention center," Gray said.
"We're willing to wait and let Penn Square Partners see what they can come up with in a few weeks."
Penn Square Partners is the private developer seeking to build a 300-room Marriott Hotel at the site of
the former Watt & Shand building. The Lancaster County Convention Center Authority plans to build a
220,000-square-foot convention center joined to the hotel. This morning, Smithgall said he could not
reveal how, specifically, the developers would seek to reduce construction costs; they were only
beginning to strategize this morning. "I know what people want to do. They want to say, 'What are you
going to change? Are you going to change brick to Dryvit? Are you going to change to electric
baseboard heat?'" Smithgall said. "We're getting ready to start this whole thing this morning." Smithgall
did, however, anticipate questions about whether the quality of the facilities would suffer; his answer is,
they would not. "There are other ways to do things and not lose the quality," he said. "Our critics want
to say they're going to change the quality. Our goal is to deliver what we promised and do it within our
budget."
The bulk of the construction bids were opened at a public meeting held one week ago, but a few others
were unsealed on May 9. Initial reports from last week's meeting stated that bids came in only $13.6
million, or 15 percent, over budget. But those figures did not include contracts already awarded. And
bids on one more contract, for stabilization of the Watt & Shand facade, have yet to be opened; that
will happen on May 31. The bid that came in the most over budget last week was that for the $10.5
million "general trades" contract; Wohlsen Construction of Lancaster was the only bidder, at nearly
$22.3 million -- more than twice the budgeted amount.
The "general trades" contractor would perform carpentry and provide finished materials such as tile and
stone floors and wood paneling, Smithgall said. Asked why the bid came in so high, he said, "There's
only a single bidder, and that could have a lot to do with it. We did not get what we had hoped for,
which was competitive pricing in that bid package." The developers could decide to modify the
elements of the bid package or seek more bids. In fact, they may decide to seek new bids not just on
the general trades contract, but on several others in which the price far exceeds their budget. There
may be other bids, however, they can do little about. The bids for steel, drywall, glass and concrete
contracts came in far higher, largely because of price fluctuations in the
market."Raw materials have been very volatile," Smithgall said. While the developers analyze the bids,
work continues on demolition of three warehouses behind the Watt & Shand building; stabilization of
the building's facade is expected to begin
shortly after bids are opened for that work on May 31. The developers have continued the demolition
work despite the apparent bid setback, Smithgall said, because it needs to be done regardless of
whether the hotel and convention
center project moves forward. "The preparation of the site has value to a project, even if it's not this
particular project," he
said. "It allows other things to occur if this project does not proceed." In addition, he said, completion of
that work will allow the Historic Preservation Trust of Lancaster County to move forward with its plans
for a Thaddeus Stevens Museum. Penn Square Partners consists of general partner Penn Square
General Corp., a High Associates affiliate, and limited partners Fulton Bank and Lancaster Newspapers
Inc., publisher of the Lancaster New Era, Intelligencer Journal and Sunday News. Detailed look at bids:
A6
Advanced Media Group

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Tuesday
2004-2006 Lancaster Newspapers PO Box 1328, Lancaster PA 17608, (717) 291-8811
Terms of Service Privacy Policy

May 25, 2006


Thursday
8:30 AM - 9:00 AM

Rescheduled Hearing Caterbone v. Comcast -- DJ Ballentine 123 Locust Street,Lancaster,PA 17602


717-299-7974

CV-0000160-06
Comcast must send notice to defend, otherwise do not attend.
Tried to make me miss this hearing, original taken, I thought it was for June 26, went today to
get copy and said Comcast entered an appearance for defense. Will reschedule hearing.
9:00 AM - 9:30 AM

DJ Thomas Xavios Appeal due for Reading Parking Ticket

May 26, 2006


Friday
8:30 AM - 9:00 AM

Hearing Caterbone v. Comcast -- DJ Ballentine 123 Locust Street,Lancaster,PA 17602 717-299-7974

CV-0000160-06
Comcast must send notice to defend, otherwise do not attend.
1:00 PM - 1:30 PM

Barley Snyder, LLC - Lancaster General Hospital File Stolen -- East King Street, Lancaster,PA

Gave formal notice to Attorneys Meagen Ford and Mattson regarding LGH file stolen, said
allegations that their client may have been involved, Caroline (african american woman) at
reception desk. Called to executive secretary of both attorneys, were not available, told them
to leave them notice of theft of file.
4:30 PM - 5:00 PM

Judge Mary J. McLaughlin Letter faxed

Advanced Media Group


220 Stone Hill Road
Conestoga, PA 17516

May 26, 2006

United States District Court for the Eastern District of Pennsylvania


Honorable Judge Mary A. McLaughlin
Room # 13614
601 Market Street, Room 2609
Philadelphia, PA 19106-1748
Fax: (215) 597-6390 600
Re:
Civil Action No. 05-2288
Advanced Media Group

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Friday
Honorable Judge Mary A. McLaughlin:
Attached is evidence of a widespread effort to obstruct justice and deny me fair access and due
process concerning my current pending litigation before your court and other matters before other
courts. I filed a Forma Pauperis in The Court of Common Pleas of Lancaster County relating to
obstruction of justice. The Judge denied my request, without a reason, contrary to rule 240, and the
courts have left me without any access to the courts because I do not have any funds available to file
an appeal.
I am having difficulty conducting my affairs and am seeking the courts to protect my constitutional
rights relating to these matters.
I am unsure of the formal and technical manner to file such a motion and request. Please advise.
Respectfully,

Stan J. Caterbone, Pro Se


Advanced Media Group
Cc:

Honorable Judge Thomas M. Twardowski,


United States Bankruptcy Court, Eastern District of Pennsylvania
400 Washington Street
Reading, PA 19601
Re:
Case No. 05-23059
The Honorable Anita Brody
US District Court For the Eastern District of Pennsylvania
600 Market Street
Room 7613
Philadelphia, PA 19106
Fax 1-215-580-2356
Re:
Case No. CA 06-1538
www.amgglobalentertainmentgroup.com
infor@amgglobalentertainmentgroup.com
717.731.8184 Phone
717.427-1621 Fax

6:00 PM - 6:30 PM

Judicial Conduct Review Board Complaint Filed -- USPS, Harrisburg Pike, Lancaster, PA 17603

Please explain your complaint on the reverse of this from.

COMMONWEALTH OF
PENNSYLVANIA
JUDICIAL CONDUCT BOARD
Pennsylvania Place
301 Chestnut Street, Suite 403
Harrisburg, PA 17101
(717)-234-7911
OFFICIAL USE ONLY
Recd:
JCB No:
County:
CONFIDENTIAL REQUEST FOR INVESTIGATION
INSTRUCTIONS: Please type or print. If you wish to provide documents to support your
allegations, please attach copies of those
documents. We cannot return documents. The Boards jurisdiction extends only to
Pennsylvania Supreme Court Justices, Superior
and Commonwealth Court Judges, Common Pleas Court Judges, Philadelphia Municipal and
Advanced Media Group

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Friday
Traffic Court Judges and Magisterial
District Judges. Once completed, you must sign and return this form to the address above.
NOTICE: The Judicial Conduct Board has no authority to change a Judges decisions or
rulings. Our jurisdiction extends only to
conduct that violates the Code of Judicial Conduct or the Rules Governing Standards of
Conduct of District Justices, which may be
found at our website at www.jcbpa.org.
Your Information:
Name: Stanley J. Caterbone
Address: 220 Stone Hill Road
City: Conestoga State: PA Zip: 17516
Telephone:
( 717 ) 431-8184
()
Judicial Officers Information:
Name: William G. Reuter/Commins
County: Lancaster
Type of Judicial Officer:
Magisterial District Judge
Judge
Case Information: (If misconduct allegations relate to Court Proceedings.) Case Has Been
Appealed
Case Name: Preliminary Hearing Case Docket Number: NT-0000558-05
Your Attorney: Opposing Attorney: Witness:
Name: Pro Se Name: Name:
Address:
Address:
Address:
Phone: Phone: Phone:
I certify that I have read the information concerning the Judicial Conduct Boards
function, jurisdiction, and
procedures included in the accompanying brochure. I further swear (or affirm) that the
above information is
true and accurate. The statements in this complaint are made subject to the penalties
of 18 Pa. C.S. 4904
(relating to unsworn falsification to authorities.)
Date Your Signature
___________________________________________________________________________
___________________________
Revised: 08/10/2004
Please use this page to explain your complaint, providing as much detail as possible.
Attach additional pages if needed.
Please note, it is not required that you present your grievance to the Board in person.
Personal interviews are not required and are
not usually necessary for our preliminary review, investigation, and understanding of
grievances. If we need further information
relative to your grievances, you will be contacted by phone or letter and arrangements will be
made for an interview if deemed
necessary.
At the Preliminary Hearing on December 5, 2005 Judge Reuter confered with Officer Ronal
Bezzerd due to the fact that the East
Lampeter Township Police Department failed to provide me with the proper citations before
the start of the Preliminary Hearing.
Judge Reuter had called the Lancaster County District Attorney during the Hearing and
Officer Bezzerd consulted with a District
Attorney about refiling the charges.
I distintcly interupted the Hearing and asked the Judge that I did not think it was fair if the
East Lampeter Township Police
Advanced Media Group

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May 26, 2006 Continued


Friday
Department could keep these charges pending, without being refiled. Judge Reuter assured
me that this would not be the case and
demanded that Offficer Bezzerd notify me within 24 hours of his decision to refile the charges
or not, which he agreed.
The following is an email that I from Officer Bezzerd at 7:16 pm
amgroup01@msn.com Printed: Wednesday, May 24, 2006 4:09 PM
From : Bezzard, Ron <BezzardR@police.co.lancaster.pa.us>
Sent : Monday, December 5, 2005 7:16 PM
To : <amgroup01@msn.com>
Subject : refiling charges
Mr. Caterbone The DAs officer advised me they would approve refilling the charges. This
should be done within a week, call volume
permitting. Also I dont know haw long it will take to get the court order to file the charges
through the Mt Joy office. At any rate the
charges will be filed as soon as possible.
On May 18, 2006 The East Lampeter Township Police Department refiled the charges and
changed the Affadavit of Probable cause.
On the carges of Count 3 Teft of Services, enclosed you will find a bank debit card
transaction of the bar bill that was paid on the
evening of October 6, 2005 immediately after I was released from the East Lampeter
Township Police Department.

May 27, 2006


Saturday
All Day

sc anniversary

May 29, 2006


Monday
6:00 AM - 6:30 AM

Judicial Conduct Review Board Complaint filed

Please explain your complaint on the reverse of this from.


COMMONWEALTH OF
PENNSYLVANIA
JUDICIAL CONDUCT BOARD
Pennsylvania Place
301 Chestnut Street, Suite 403
Harrisburg, PA 17101
(717)-234-7911
OFFICIAL USE ONLY
Recd:
JCB No:
County:
CONFIDENTIAL REQUEST FOR INVESTIGATION
INSTRUCTIONS: Please type or print. If you wish to provide documents to support your
allegations, please attach copies of those
documents. We cannot return documents. The Boards jurisdiction extends only to
Pennsylvania Supreme Court Justices, Superior
and Commonwealth Court Judges, Common Pleas Court Judges, Philadelphia Municipal and
Traffic Court Judges and Magisterial
District Judges. Once completed, you must sign and return this form to the address above.
NOTICE: The Judicial Conduct Board has no authority to change a Judges decisions or
rulings. Our jurisdiction extends only to
conduct that violates the Code of Judicial Conduct or the Rules Governing Standards of
Conduct of District Justices, which may be
Advanced Media Group

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May 29, 2006 Continued


Monday
found at our website at www.jcbpa.org.
Your Information:
Name: Stanley J. Caterbone
Address: 220 Stone Hill Road
City: Conestoga State: PA Zip: 17516
Telephone:
( 717 ) 431-8184
()
Judicial Officers Information:
Name: Leo H. Eckert,Jr;Stuart J. Mylin;
Maynard A. Harmilton
County: Lancaster
Type of Judicial Officer:
Magisterial District Judge
Judge
Case Information: (If misconduct allegations relate to Court Proceedings.) Case Has Been
Appealed
Case Name: Notice of Continuance;Police Criminal
Complaint;Summons For A Summary Case
Case Docket Number: CR-0000085-06;TR-000101106;TR-0001010-06;TR-0000244-06;TR-000245-06;NT0000220-06
Your Attorney: Opposing Attorney: Witness:
Name: Pro Se Name: Name:
Address:
Address:
Address:
Phone: Phone: Phone:
___________________________________________________________________________
_____________________
Revised: 08/10/2004
I certify that I have read the information concerning the Judicial Conduct Boards
function, jurisdiction, and
procedures included in the accompanying brochure. I further swear (or affirm) that the
above information is
true and accurate. The statements in this complaint are made subject to the penalties
of 18 Pa. C.S. 4904
(relating to unsworn falsification to authorities.)
Date Your Signature
Please use this page to explain your complaint, providing as much detail as possible.
Attach additional pages if needed.
Please note, it is not required that you present your grievance to the Board in person.
Personal interviews are not required and are
not usually necessary for our preliminary review, investigation, and understanding of
grievances. If we need further information
relative to your grievances, you will be contacted by phone or letter and arrangements will be
made for an interview if deemed
necessary.
___________________________________________________________________________
__________________
Revised: 08/10/2004
The attached Summary filings will demonstrate a concerted effort among varous Majisterial
District Justices
to obstruct justice and to collectively as an agent to thwart my efforts and deny me my
constitutional right of
due process relating to my current litigation in Federal and State courts. The following is a
copy of a letter to
the Honorable Judge Mary A. McLaughlin, judge of Civil Action No. 05-2288; which is
Advanced Media Group

173

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May 29, 2006 Continued


Monday
presently a sealed
filing that I am Plaintiff in The United States District Court for the Eastern District of
Pennsylvania.
"Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
May 26, 2006
United States District Court for the Eastern District of Pennsylvania
Honorable Judge Mary A. McLaughlin
Room # 13614
601 Market Street, Room 2609
Philadelphia, PA 19106-1748
Fax: (215) 597-6390 600
Re: Civil Action No. 05-2288
Honorable Judge Mary A. McLaughlin:
Attached is evidence of a widespread effort to obstruct justice and deny me fair access and
due process
concerning my current pending litigation before your court and other matters before other
courts. I filed a
Forma Pauperis in The Court of Common Pleas of Lancaster County relating to obstruction of
justice. The
Judge denied my request, without a reason, contrary to rule 240, and the courts have left me
without any
access to the courts because I do not have any funds available to file an appeal.
I am having difficulty conducting my affairs and am seeking the courts to protect my
constitutional rights
relating to these matters.
I am unsure of the formal and technical manner to file such a motion and request. Please
advise.
Respectfully,
Stan J. Caterbone, Pro Se
Advanced Media Group
Cc: Honorable Judge Thomas M. Twardowski,
United States Bankruptcy Court, Eastern District of Pennsylvania
400 Washington Street
Reading, PA 19601
Re: Case No. 05-23059
The Honorable Anita Brody
US District Court For the Eastern District of Pennsylvania
600 Market Street
Room 7613
Philadelphia, PA 19106
Fax 1-215-580-2356
Re: Case No. CA 06-1538
___________________________________________________________________________
_____________________
Revised: 08/10/2004
The Police Criminal Complaints filed my Officers John A. Fiorill and Sergeant Robert C.
Busser are all
farbrications, and demonstrate one of the greggariouos violations of judicial misconduct one
can imagine.
Enclosed you will find a recorded memo from Arpril 5, 2006 that I recorded during the
altercation and false
imprisonment concerning a fruadulent 302 Order signed by Officer Fedor, all of the Southern
Regional Police
Department.
I have filed Civil Complaints in the Court of Common Pleas, Lancaster County, concerning
the above
infrations; Civil Complaints CI-06-03349 (Caterbone v. Lancaster General Hospital, et el.) and
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May 29, 2006 Continued


Monday
Civil
Complaint CI-06-03401.
These demonstrations of judicial misconduct are intended to defame my character, my
reputation, and my
trustworthiness while also distracting me and intimidating me into incarcaration that would
prohibit me from
coninuing my current litigation.

5:00 PM - 5:30 PM

Grassel Answer to Civil Complaint Due

5:00 PM - 5:30 PM

Lancaster General Hospital Answer to Complaint Due

May 30, 2006


Tuesday
5:00 PM - 5:30 PM

Southern Regional Police Dept Answer Due

7:00 PM - 7:30 PM

Kenny Chesney -- Opening for Chesney will be Sugarland and Jake Owen -- Hershey Stadium

May 31, 2006


Wednesday
12:00 AM - 12:30 AM

Artie email for Convention Center March 2005

Artie, thanks for the intelligent reply and discussion. You should understand, there is
not too much that you have said that I disagree with. You are right on point in your
analysis. However, too understand my perception, you must understand my experience
in analyzing trends and forecasts. In addition, I based my conclusions on the totality of
the
situation. Specifically, how long it would take for another project to be brought to
fruition. When I weighed all of the pertinent factors, I was drawn to those conclusions.
Some history regarding the credibility of my past experiences: In 1984/85 I had a
personal discussion with Sandy Wiell, former President of Citi Group, who has recently
resigned, which was the largest banking entity in the U.S. I was
conveying to him about the future of Financial Planning in the Investment industry, and
the future role it would play. He was closing his deal (American Express) to purchase
IDS (Investors Diversified Services). I was a national leader in the company in
delivering Financial Planning Services, which was very new to the investment
community.
In 1985/86 I was elected Vice President of the Central Pennsylvania Chapter of the
International Association of Financial Planners, and helped build that chapter by
increasing membership 3to 4 times. I had personally retained the nationally acclaimed
and nationally syndicated Financial Planner, Ms. Alexander Armstrong of Washington
D.C. to speak to an audience of more than 150 professionals at the Eden Resort &
Conference Center to discuss financial planning and how all of the professions needed
to work together for their clients. We attracted professionals from the various
professions including; investments, accounting; legal; and the banking industries.
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May 31, 2006 Continued


Wednesday
Today, it has
become evident that financial planning was the way of the future.
In the same time period I also had discussions with Blue Ball Bank executives to set up
Financial Planning for their institution. In 1985 I developed the Easter Regional Free
Agent Camp, the first Free Agent Camp for the Professional Football Market which
was videotaped for distribution. Instead of depending on the Pro scouts to come to the
camp, I video taped the camp and sent a copy of the camps (free to the teams) to all the
teams in all three leagues NFL, CFL and WFL. My brother was signed at that camp by
the Ottawa Roughriders of the CFL, and went on to be a leading receiver while J.C.
Watts was one of the leagues most prominent Quarterback. My brother also played 2
years with the Miami Dolphins and Dan Morino. I was a Certified Agent for the
National Football League Players Association, and had personal conversations and
lunch (in Los Angeles, California) with Gene Upshaw, who was the President of the
NFL Players Union at the time, regarding my camp. The Washington Post wrote a full
page article about my camp and said no one would go on to play professional football
from my camp and try to imply that my camp was a scam. Actually, that was the very
reason for my camp, we had attended too many other camps around the country that
were scams. I had about 60 participants, with one player coming from as far away as
Hawaii. We held the camp at Lancaster Catholic, with a professional production
company filming the entire camp, while I did the editing and produced the video. The
well respected and widely acclaimed professional football scout, Gil Brandt, of the
Dallas Cowboys had given me support for my camp during some conversations I had
with him, he later wrote me a personal note about the camp and said he would evaluate
the video tapes and thought it was a good idea.
In 1986 I had founded Financial Management Group, Ltd.,. In one year, we had 24
people on staff, and had approximately 12 offices in Pennsylvania, and several satellite
offices in other states. We had raised in excess of $50 million in investments to manage
our first year. We had acquired our own Broker Dealer firm and were doing about $3.5
million dollars in gross commission income by the end our first year. We had financial
planners, investment managers, accountants, attorneys, real estate companies, liability
insurance companies, and others all in one office, on the Oregon Pike providing
Financial Planning services In 1987 I was in the midst of making the FIRST Digital
Movie, with one of the leading recording studios in the country, Power Station Studios
& Tony Bongiovi (Power Station
Studios) of New York. Tony developed his cousin Jon BON JOVI, and worked with a
list of Whos Who in the music industry including Bruce Springsteen, Diana Ross,
Cyndi Lauper, Talking Heads, Madonna, The Ramones, Steve Winwood, and on and
on. Tony had produced the orginial Sound Track for Star Wars which was released for
distribution, and was the number one Sound Track release of its time. Tony was also
active in working with aerospace technologies. I had developed and authored a Joint
Venture Proposal for SONY to partner with us in delivering the Digital Movie and its
related technologies to the marketplace. The venture was to include the
commercialization of technologies which Tony Bongiovi had developed for the
recording industry simultaneously with the release of the Digital Movie. I also created
the idea for the PSDMS which was to be the Trademark logo for
the technology, similar to the DOLBY sound systems trademark. The acronyms stand
for the Power Station Digital Movie System. Today, DVD is the mainstay for
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May 31, 2006 Continued


Wednesday
delivering movies on a portable medium.
In 1987 I had a mortgage banking company that was representing a major banking firm
in Houston Texas. I had the capability to finance projects up to $100 million dollars
And HAD MORE COMPETIVE RATES THAN LOCAL INSTITUIONS! I had
secured refinancing packages for Norris Boyd of and the Olde Hickory Hotel for his
property. I had talks with Drew Anton of the Eden Resort, for refinancing a portion of
his debt portfolio. I also had a number of other prominent developers seeking our
competitive funding, including Owen Kugal, High, the Fisher Group (owner of the Rt.
30 Outle ts) and many others around the country from New York to Hollywood.
In 1989 I was one of only 5 or 6 U.S. U.S. companies that had the capability to
manufacture CD-ROM's. We did business with commercial companies, government
agencies and foreign companies. I had worked with the Department of Defense,
NASA, NIST, IBM, Microsoft and others. I also was working with R.R, Donnelly's
Geo Systems, and had arranged for High Industries to sell American Helix to R.R
Donnelly where the executive from Donnellys Chicago headquarters flew to Lancaster
to discuss the deal. I later was developing proposals for Geo Systems to develop
interactive technologies, similar to the WWW. Geo Systems later went on to become
MapQuest, which today is the most widely used mapping software for a host of
technologies,
including the Internet.
In 1990 and 1991 I had worked on developing Voice Recognition systems for the
Governments Technology Think Tank - NIST (National Institute for Standards &
Technology). Today, most all call centers deploy that technology whenever you call an
800 number, and voice recognition is prevalent in all types of technology.
In 1991 I was elected to People to People International and the Citizen Ambassador
Program, which was founded by President Dwight D. Eisenhower in 1956. The
program was founded to To give specialists from throughout the world greater
opportunities to work together and effectively communicate with peers, The Citizen
Ambassador program administers face-to- face scientific, technical, and professional
exchanges throughout the world. In 1961, under President John F. Kennedy, the State
Department established a non-profit private foundation to administer the program. I
was scheduled to tour the Soviet Union and Eastern Europe to discuss printing and
publishing technologies
with scientists and technicians from around the world.
I am illustrating a point with all of these experiences. All of these projects were
outsidethe-box. There were no experts suggesting any of these projects would be
successful. I relied on my own information and instincts, and was right with all of them,
I was leading the industries that we participated in, not following the experts.
I believe that at this point in time, delaying the development of the Watt & Shand
building has greater risk, than seeing it be built by PSP, assuming they will bear the
financial risk. The baseball stadium is going to have a tremendous positive impact for
the community, and will need a counterpart in Downtown Lancaster. Synergy is the
operative word here. Waiting another 4 or 5 years to develop center city, would be a
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May 31, 2006 Continued


Wednesday
disaster in my opinion. Again, I agree with what your research tells you, however, there
are many opportunities that your research will never tell you, and that is what I am
including in my analysis.
I am most certainly not saying that I cant be wrong, however, this is my best
conclusion given all of the information that I have to evaluate. If I was given
misinformation by someone, or was deceived by someone, well then, it is what it is.
I hope you better understand how I derived at my conclusions.
Sincerely,
Stan Caterbone

3:00 AM - 3:30 AM

Robert Walker email

Advanced Media Group


From: Advanced Media Group [amgroup01@msn.com]
Sent: Wednesday, May 31, 2006 3:48 AM
To: 'walker@wexlergroup.com'
Subject: Yesterdays Hearings on FBI & Congressional Office
Attachments: monster resume may 12 2006.pdf; Pages from AMG Legal Systems Prototype
Upgrade to
Windows Oct 29 2005.pdf

Page 1 of 1
5/31/2006
Dear Mr.. Walker;
I just happen to see the end of the broadcast for the Hearings for the recent challenges
regarding the FBI and the
search and seizure issues regarding Congressional offices. Unfortunately, I missed your
testimony.
I am in current litigation in the United States District Court for the Eastern District of
Pennsylvania (CA No. 052288 Sealed), as a matter of fact, you may remember that back in 1990 you intervened in a
dispute with the
Defense Mapping Agency of the Department of Defense on my behalf (see attached).
My current litigation also involves Constitutional issues and I was curious as to the possibility
of you sharing your
testimonial brief views with me? If you so desire, facts surrounding my litigation could be
made available upon
request.
I am also enclosing my resume for future reference in the hopes that you may require my
expertise with regards
to your public relations firm. I often speak of you as the only person in Washington D.C. that
has ever helped me provide a solution to one of the many challenges of my career, and will
always be grateful for the manner and the results of your efforts.
I look forward to hearing from you.
Respectfully,
Advanced Media Group
Stan Caterbone
www.amgglobalentertainmentgroup.com
amgroup01@msn.com
Advanced Media Group

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May 31, 2006 Continued


Wednesday
Fax: 717-427-1621

9:00 AM - 9:30 AM

OMNIS ACCOUNT

amgroup01@msn.com

Printed: Wednesday, May 31, 2006 9:49 AM

_____
From :
<ticket-578980@helpdesk.omnis.com>
Reply-To : ticket-578980@helpdesk.omnis.com
Sent :
Wednesday, May 31, 2006 9:41 AM
To : amgroup01@msn.com
Subject :
[Omnis Network] Support Ticket #578980
_____

Dear Customer:
Hi, this is Eddie from Omnis.com. We host your website
amgglobalentertainmentgroup.com. It seems that the hosting account is
queued for cancellation for non-payment. We are sending you this
notice to let you know that the account will be cancelled soon.
Please let us know if you wish to keep the account or cancel it. You
can give us a call at 1-877-393-4678 or just reply back to this
email.
Thank you,
Eddie
--------------------------------------------------Omnis Network, LLC
Website: http://www.omnis.com
Email: support@omnis.com
Phone Toll Free: 1-877-393-4678
> Original Message:
>Domain name: amgglobalentertainmentgroup.com Service_GID:
20050218163605360442

3:30 PM - 4:00 PM

Berks Reading Commonwealth Court of Common Pleas John Wert

John Wert Assistant to Judge Scheaffer


610-478-6675
610-478-6550
John Wert"possibly insufficient documentation", well I said possibly, file again to reconsider?"
should I show you my empty wallet?
Did not know what he was talking about.

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June 01, 2006


Thursday
9:00 AM - 9:30 AM

Maj Dist Justice Commins Contineance Filed -- Lancaster County Courthouse

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CRIMINIAL DIVISION
Commonwealth of Pennsylvania

:
:

CRIMINAL ACTION NO.


CR-0000169-06

:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516

:
:

STATE OF PENNSYLVANIA

:
:
: ss

COUNTY OF LANCASTER

___________________________________________________________________________
_______________
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CRIMINIAL DIVISION
PETITION FOR CONTINUANCE
I hereby petition the courts for a continuance in the foregoing case allowing the PETITIONER
to prepare a sufficient defense of the charges filed by the Commonwealth of Pennsylvania on
the following grounds:
1. PETITIONER has had files stolen from his residence and office, most recently
reported to the Southern Regional Police Department on May 26, 2006 that are
required to formulate a defense of the charges filed.
2. PETITIONER must confront issues dealing with the current litigation of civil actions
filed in the United States District Court for the Eastern District of Pennsylvania filed in
May of 2005 which are paramount to the PETITIONERS right to due process and will
assist in the PETITIONERS formulation of a sufficient defense for the foregoing
case.
3. PETITIONER is pro se and is facing financial difficulties that if unattended will leave
the PETITIONER without the following necessities that are required to formulate a
proper and sufficient defense of the charges filed and PETITIONER alleges
misconduct and criminal activity resulting in his financial demise :
a. Communication telephone, facsimile, and email, and U.S. postage
b. Transportation gasoline and maintenance required to file a legal
requirements at the Lancaster County Courthouse, the Bankruptcy Court of
Eastern Pennsylvania in Reading, Pennsylvania, and the United States
District Court for the Eastern District of Pennsylvania in Philadelphia.
c. Food PETITIONER is currently in the process of appeal with the
Pennsylvania Department of Welfare for Food Stamps and other benefits.
d. Internet Service Such service is required to formulate a proper defense of
the charges filed.
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June 01, 2006 Continued


Thursday
4. PETITIONER requires sufficient time to subpoena witnesses required to formulate a
proper defense of the charges filed.
5. PETITIONER
PETITIONER is requesting that the Court provide at least a 30 day Continuance to alleviate
the above and formulate and prepare a proper and sufficient defense of the charges filed by
the Commonwealth of Pennsylvania.
DATED: _________________
_____________________________
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184
amgroup01@msn.com
_______________________
_______________________
_
Commonwealth of Pennsylvania

:
:

VI.

CRIMINAL ACTION NO.


CR-0000169-06

:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516

ORDER

AND NOW, this __________ day of June, the Petition for a Continuance is granted and the
Hearing for the above reference case will be rescheduled by the Magisterial District Justice at
a later time and date.

BY THE COURT:

____________________________
____________________________

DATE:

Copies to:

Petitioner
Magisterial District Judge
___________________________________________________________________________
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June 01, 2006 Continued


Thursday
______________________

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CRIMINIAL DIVISION
CERTIFICATE OF SERVICE

Stanley J. Caterbone represented by Stanley J. Caterbone


220 Stone Hill Road PRO SE
Conestoga, PA 19516
Service To:
MDJ B.D. Commins
15 Geist Road
Lancaster, PA 17601
Mr. Donald Totaro
Lancaster County District Attorney
50 North Duke Street
Lancaster, PA 17602
Certificates of Service were sent by United States 1st Class Mail on June 1, 2006.
By, ________________________________
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184

June 06, 2006


Tuesday
2:00 PM - 2:30 PM

Appeal for Food Stamps -- 2330 Vartan Way, 2nd Floor, Harrisburg, PA 17110

Bur of ~earings-~ppeals
2330 Vartan Way
Second Floor
Harrisburg PA 171 10-9946
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Tuesday
COMMONWEALTH OF PENNSYLVANIA
DEPARTMENT OF PUBLIC WELFARE
Bureau of Hearings & Appeals
Phone: (7 1 7) 783-3950
NOTICE OF HEARING DATE AND TIME ax: (71 7) 772-2769
Date May 23.2006
Stan J. Caterbone
220 Stone Hill Road
Conestoga PA 17516
Appellant Name and Address:
Stan J. Caterbone
220 Stone Hill Road
Conestoga PA 17516
Case No: 360234927-00 1
RE: PA/FS 162 1 4/26/06 67727927
PA/MA 162 4/26/06 67728027
Dear Mr. Caterbone:
This acknowledges your request for a fair hearing from a decision by the
Lancaster CAO concerning FoodStamp Denial: Interview/Appointment.
--..
A face-to-face hearing has been scheduled for you. Your hearing will be conducted at the
date, time and location below. Please notify this office immediately if you want to change to a
telephone hearing. We can call you at a number that you provide or you can use the
telephone at your CAO.
Hearing Date: June 6,2006 Time: 02:OO p.m.
Location: 2330 Vartan Wa Second Floor, Harrisburg
Administrative Law Judge (A~J)S: cott M. Staller
NOTE: 2330 Vartan Wa is located east of North Progress Ave., between 1-81 and
Linglestown Rd. (Rt 39). ,If you nee d' directions from a specific location, please call (717)
783-3958.
*IMPORTANT: If you, or a representatwe for you, is not available for the hearing, you will lose
the case. If, before the hearing, you give me a reason for your unavailability and the Bureau
of Hearings and Appeals deems the reason to be acceptable, the hearing will be postponed. If
the Bureau of Hearings and Appeals deems your reason to be unacceptable and you are not
available for the hearing, your appeal will be dismissed.
CONTINUED ON REVERSE
Please complete and sign the "REPLY TO BUREAU OF HEARINGS AND A P P E A L S ' "
~be~lo~w~, c ut an the dotted
line and-tetuumas&n_as eoss_ible_in th_ep.gagepaid ~ ... re3ly e n ~ l o p & ~ e ouf Hu and
App-ea-ls .
... . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .. . .. .
.........................................................................
...................................................
REPLY TO BUREAU OF HEARINGS AND APPEALS
Check all that apply:
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Tuesday
I will be available for the hearing June 6,2006
at 02:00 p.m. with ALJ
My correct telephone number
Scott M. Staller
I need an interpreter. Language needed: I a peryn with a disability and I need an
accommodation to
participate in the hearing. The accommodation I need is:
i will NOT be available for the hearing because:
BUREAU OF HEARING AND APPEALS
I wish to withdraw my appeal at this time (Only 2330 VARTAN WAY
the person who filed the appeal or hisher SECOND FLOOR
HARRISBURG PA 17110-9946
authorized representative can withdraw the
appeal).
Stan J. Caterbone
Signature Date 360234927-00 1

June 09, 2006


Friday
9:00 AM - 9:30 AM

Hearing for Conetoga Speeding Ticket -- District Court, 25 East State Street,Quarryville,PA 17566
717-786-7368

717-786-2072 fax

June 11, 2006


Sunday
8:00 PM - 8:30 PM

Country Music Awards

CMA Music Fest Sets Initial Lineup


February 13, 2006, 4:30 PM ET
Katie Hasty, N.Y.
Brooks & Dunn, Brad Paisley, Carrie Underwood and Montgomery Gentry are
among the artists who will perform at the 2006 CMA Music Festival. Slated for June
8-11 in downtown Nashville, the Country Music Association-staged event will consist
of four days of live music and opportunities for fans to get up close to some of their
favorite artists.
Artists like Trace Adkins, Terri Clark, Billy Currington, Sara Evans, Miranda Lambert,
Martina McBride, LeAnn Rimes and Blake Shelton are also slated to appear at the
festival, formerly known as Fain Fair. Half of all proceeds will go toward charities
hand-picked by participating artists who appear at the event for free.

June 14, 2006


Wednesday
1:00 PM - 2:00 PM

Hearing Harisburg Airport Citation -- 1281 South 28th Steet, Harrisburg, PA 17111 717-558-1160

MDT citation for leaving car unattended to go look for Sheryl in Terminal. Left car and talked
to Security Officer and he said it was ok and ordered me to move car, and I did. He did not
write me a citation on that day.
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June 15, 2006


Thursday
10:00 AM - 10:30 AM

Hearing DJ Ballentine Caterbone v. Comcast -- 30 Locust Street,Lancaster,PA

June 17, 2006


Saturday
8:00 PM - 8:30 PM

Tim McGraw & Faith Hill - SOLD OUT --

GIANT Center

Event Name: 2nd Show Added for Tim McGraw & Faith Hill - SOLD OUT
Type of Event: Concert
Show
Entertainment
Venue: GIANT Center
Hershey
Event Date(s): 6/17/06
Event Time(s): 8:00 PM
On-Sale Date: 3/25/06
On-Sale Time: 10:00 AM
Admission:
$87.75, $62.75 and $42.75
***8 Ticket Limit***
Processing fee will apply
Parking Fee is applicable
Event Details: Their first scheduled show sold out in just minutes. Now the most famous
couple in country music will perform at the GIANT Center on June 17 at 8 p.m. Tickets go on
sale on Saturday, March 25 at 10 a.m.
The mega-tour, which is expected to exceed 70 concert dates, will kick off on April 21 at The
Nationwide Arena in Columbus, Ohio. Soul2Soul II puts to end a nearly six-year hiatus away
from the road for Hill, and puts McGraw back onstage in front of the loyal audiences that have
served to make him one of the music industrys biggest touring acts.
Tim McGraw and Faith Hills Soul2Soul Tour 2000 marked one of the industrys most
successful concert tours of the millennium. It produced fast sell-outs, box office sales records
at venues across America, and critical accolades. Since its conclusion nearly six years ago,
speculation and anticipation for a follow-up tour has been widespread.
Fans can expect a great seat anywhere in the house with Soul2Soul II Tours unique in-theround set design that will put fans closer than ever to the concert action. For the Soul2Soul
II Tour, McGraw and Hill also have combined their efforts to create Club SuperSoul, an
interactive fan package that grants fans access to both artists' online fan clubs, an exclusive
behind-the-scenes look at the tour, presale access, pre-show party lottery and limited-edition
merchandise. In addition, Soul2Soul II Tour media partner AOL will offer fans the
opportunity to buy tickets in advance on the Web through AOL Tickets at www.aol.com/tickets
as of February 22.
Combined, McGraw and Hill have more than 60 million albums sold, six Grammy Awards, 17
American Music Awards, 22 Country Music Association Awards and 16 Academy of Country
Music Awards. With 11 #1 albums and more than 35 #1 singles, Tim McGraw and Faith Hill
are not just country musics reigning first couple, they are each, in their own right, among their
generations most successful performers.
Soul2Soul II will feature the songs that have become synonymous with Tim and Faiths
careers over the past decade. Along with some never-before-seen musical performances, the
show will feature what insiders are calling one of the most unique set designs ever made and
with the latest in visual technology and lighting design, Soul2Soul II Tour will include many
of Tim and Faiths biggest hits and duets.
The Soul2Soul II Tour is being presented by The Hershey Company. Fans of Hershey'sAdvanced Media Group

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Saturday
along with Tim and Faith-share a love for great music and chocolate, creating a winning
combination for the Soul2Soul II Tour.
For more information or tickets: Call GIANT Center Box Office at 717-534-3911 or visit
www.giantcenter.net
For this concert, the wristband policy will be in effect. Fans are permitted on HERSHEYPARK
property beginning at a 7 AM on Saturday, March 25. Two hours prior to the on-sale, fans are
directed in front of GIANT Center, where they are issued a numbered wristband. Wristbands
are available for one hour, and at the conclusion of that hour, a selected fan will randomly
select a wristband that will determine the line order. For example: if 1000 wristbands are
issued during that hour and the number 500 is selected, the person wearing wristband 500 will
be the first person in line. Numbers 501 to 1000 will proceed in line behind followed by
numbers 1-499. Once the line is in place, everyone arriving after the wristbands were issued
will be escorted to the end of the numbered line.
Tickets also available at: Ticketmaster at 717-260-2000, 570-693-4100, or 215-336-2000 or
visit their website www.ticketmaster.com
Doors open 60-90 minutes prior to show. Times subject to change.
Note: Cameras are not permitted. Audio and video recorders, movie cameras and press
cameras are never permitted except by special permission of the artists management.
HERSHEYPARK Deal: Ride the day away at HERSHEYPARK before you rock and roll all
night! HERSHEYPARK offers a special discounted admission price of just $25.95 to concert
go-ers when purchasing and using a Park ticket on the day of the concert! Just present your
concert ticket at the HERSHEYPARK Front Gate the day of the concert to receive the
discount.
ALL INFORMATION SUBJECT TO CHANGE WITHOUT NOTICE.
Phone: Call 717-534-3911 for more details.

June 18, 2006


Sunday
8:00 PM - 8:30 PM

Tim McGraw & Faith Hill - SOLD OUT -- Hershey Stadium

Tim McGraw & Faith Hill - SOLD OUT

June 19, 2006


Monday
3:00 PM - 3:30 PM

Hearing District M Simms Lanc City Police Littering 299-7966 -- 301 North Queen Street, Lancaster, PA
17603

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: m T m
02-2-04
MDJ Name: Hon
RICEARD H. Simms
Address: 301 U QUEEN ST
LAUCASTER, PA
STAMLEY J. CATERBONE
220 STONE HILL PI,
COmSTOQA, PA 17516
NOTICE OF TRIAL
SUMMARY CASE
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Monday
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT: NAME and ADDRESS
STANLEY J. CATERBONE
220 STONE HILL BD
CONESTOGA, PA 17516
LJ
Docket No. NT-0000598-06
Date Filed: 4/25/06
Charae(s):
18 86501 SSAl SCATTERING RUBBISH
I
I
This court has received your plea of NOT GUILTY to the above summary violation(s). The
sum of $ -00
has been accepted as collateral for your appearance at trial.
Your trial has been scheduled as follows:
Should you fail to appear for your trial, a warrant may be issued for your arrest.
Date: June 19,2006
Time: 3:OO PM
Failure to appear for your trial shall constitute consent to trial in your absence and if you are
found guilty, the collateral
deposited shall be forfeited and applied toward the fine and costs. You shall have the right to
appeal within thirty days
for a trial de novo.
g
301 U QUEEN ST
LAMCASTER, PA 17603
717-299-7966
If you have any questions, please call the above office immediately.
You have the r~ghtto be represented by an attorney. You have the right to have any
witnesses present. It is your
responsibility to not~fyy our attorney and/or witnesses of this trial date and time.
5/10/06
Richard H. Simms
My commission expire
If you are disabled and require a reasonable accommodation to gain
and its services, please contact the Magisterial District Court at the a
We are unable to provide transportation.
CITIATION NUMBER: P5612199-8
DATE SIGNED: 4/16/2006
DATE PRINTED: 5/10/06 9:40:40 AM
AOPC 61 1-05

June 22, 2006


Thursday
9:00 AM - 9:30 AM

Hearing Majistrict Dist Hamilton 872-4361 -- 324 Beaver Valley Pike,Willow Street,PA 17584

COMMONWEALTH OF PENNSYLVANIA NOTICE OF CONTINUANCE


COUNTY OF LANCASTER
Mag Dist NO.
02-2-06 COMMONWEALTH OF PENNSYLVANIA
M W Name Hon
LEO H. ECKERT, JR
AddresS 841 STEHMAN ROAD
MILLERSVILLE,PA
VS.
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Thursday
DEFENDANT NAME and ADDRESS
Telephone (717 ) 872-4361 17551-9753
STANELY, J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
Date Flled: 4/12/06
Please note that the hearing in the above captioned case, which was scheduled to occur on:
5/15/06
has been continued to:
If you have any questions, please contact this office immediaiely.
Date: 6/22/06
Time: 9:OO AM
Continuance requested by: MAGISGERIAL DISTRICT JUDGE
Place: DISTRICT COURT 02-3-03
324 BEAVER VALLEY PIKE
WILLOW STREET, PA 17584
If you are disabled and require assistance, please contact the Magisterial District office at the
address above.
I
COMPLAINT NUMBER: 060455C DATE PRINTED: 5/12/06 1:36:28 PM
DATE COMPLAINT SIGNED: 0/00/00

6:00 PM - 9:00 PM

Clint Black/Dwight Yoakam Concert at Clipper Magazine Stadium! -- Clipper Stadium

June 23, 2006


Friday
6:00 PM - 6:30 PM

Dave Matthews Band and O.A.R. -- HERSHEYPARK Stadium

Dave Matthews Band and O.A.R.


Type of Event: Concert
Show
Entertainment
Venue: HERSHEYPARK Stadium
Hershey
Event Date(s): 6/23/06
Event Time(s): 7:00 PM
On-Sale Date: 4/8/06
On-Sale Time: 10:00 AM
Admission:
$56.50 reserved field - 2 Ticket Limit
$40.75 general admission field and reserved grandstands - 6 Ticket Limit
Processing fee applies
Parking fee applicable
Event Details: Highlights on this years trek through the States include the bands second
stand at New York Citys Randalls Island, their annual three-night appearance at the Gorge
Amphitheatre outside of Seattle, and the bands first-ever performance at Hollywoods famed
Hollywood Bowl.
Last year, DMB spearheaded a fundraising effort highlighted by a special appearance at
Denvers famed Red Rocks, where they raised more than $1.5 million for victims of Hurricane
Katrina.
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June 23, 2006 Continued


Friday
O.A.R.s brand new Everfine/Lava/Atlantic album, Stories of a Stranger, sold more than
28,000 units in its first week of release, placing them firmly in the Top 40 on the Billboard 200
album chart. Strong modern rock radio airplay, several television appearances and relentless
touring have made this Rockville, Maryland-based rock band a huge success throughout
America.
For more information, please contact John Vlautin at SpinLab at 323-465-3700, via e-mail at
jv@spinlab.net or online at www.davematthewsband.com
Tickets are available at GIANT Center Box Office, charge by phone at 717-534-3911 or
717-260-2000, all TICKEMASTER locations, ticketmaster.com, or CC. COM. All show dates,
on sale dates, support artists and ticket prices are subject to change without notice.
For this concert, the wristband policy will be in effect. Fans are permitted on HERSHEYPARK
property beginning at 7 a.m. on Saturday, April 8. Two hours prior to the on-sale, fans are
directed in front of GIANT Center Box Office, where they are issued a numbered wristband.
Wristbands are available for one hour, and at the conclusion of that hour, a selected fan will
randomly select a wristband that will determine the line order. For example: if 1,000
wristbands are issued during that hour and the number 500 is selected, the person wearing
wristband 500 will be the first person in line. Numbers 501 to 1,000 will proceed in line behind
followed by numbers 1-499. Once the line is in place, everyone arriving after the wristbands
were issued will be escorted to the end of the numbered line.
Doors open 60-90 minutes prior to show. Times subject to change.
Note: Cameras are not permitted. Audio and video recorders, movie cameras and press
cameras are never permitted except by special permission of the artists management.
HERSHEYPARK Deal: Ride the day away at HERSHEYPARK before you rock and roll all
night! HERSHEYPARK offers a special discounted admission price of just $25.95 to concert
go-ers when purchasing and using a Park ticket on the day of the concert! Just present your
concert ticket at the HERSHEYPARK Front Gate the day of the concert to receive the
discount.
ALL INFORMATION SUBJECT TO CHANGE WITHOUT NOTICE.
Phone: Call 717-534-3911 for more details.

June 28, 2006


Wednesday
2:00 PM - 2:30 PM

Hearing District Maj Smith - HIA Parking -- 1281 South 28th Street,Harrisburg,PA 17111

I COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: DAUPHIN
Mag Dist. No
12-2-01
MDJ Name Hon.
MICHAEL J. SMITH
1281 S 28TE ST
HARRISBURG, PA
STAN CATERBONE
220 STONE HILL RD.
COElESTOGA, PA 17516
1I
NOTICE OF CONTINUANCE
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June 28, 2006 Continued


Wednesday
Telephone (717 ) 558-1160 17111
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT: NAME AND ADDRESS
CATERBONE, STAN
220 STONE HILL ROAD
CONESTOGA, PA 17516
Date Filed: 4/24/06
Please note that the hearing in the above captioned case, which was scheduled to occur on:
6/14/06
has been continued to: June 28th, 2006 2:15 PM
If you have any questions, please contact thls offlce immediatley
Cont~nuancere quested by BURNS, STEVEN G.
If you are disabled and require assistance, please contact the Magisterial District office at the
address above.
5/15/06 Date
My commission expires first Monday of January
CITATION NUMBER: B1270724-0 DATE PRINTED: 05/15/06
9:37:30 AM
DATE CITATION ISSUED: 4/24/06

July 02, 2006


Sunday
1:00 PM - 8:00 PM

Advanced Media Group

Blondie and Cars Clipper -- Clipper Stadium

190

9/25/2006 10:03 AM

June 15, 2006


Thursday
All Day

PA Attorney General Gus Dorn

Said to put it in writing, said ..


TOM CORBET
ATTORNEY GENERAL
COMMONWEALTH OF PENNSYLVANIA
OFFICE OF ATTORNEY GENERAL
RUREAII OF CONSUMER PROTECTION
Harrisburg Regional Office
301 Chestnut Street, Suite 105
Harrisburg, PA 17101
(7171 787-7109
May 31, 2006
Stdn Caterbone
220 Stone Hill Road
Zonestoya, PA 17516
Ref: Yarnell Securities, A-002594-2006
Dedr Mr. Caterbone:
The erlclosed correspondence is related to your complaint filed with
the Bureau
01 Consumer Protection.
Please provide us with a written response to this correspondence
within
fifteen (15) days of the date of this letter so that we may further
evaluate
your complaint.
If we do not hear from you in a reasonable amount of time, we will
assume that
you do not wish to pursue the matter further.
Thank you for your cooperation and attention to this matter.
Very truly yours,
H. Gus Dorn
P/&,
Senior Agent
ml
Enclosure
25C

10:00 AM - 10:30 AM

Hearing DJ Ballentine Caterbone v. Comcast -- 30 Locust Street,Lancaster,PA

Comcast failed to show, Office said I will receive new notice, I said
I win by defualt judgement. I was not notified by mail or any new
hearing date. Nothing in mail today either.

1:00 PM - 1:30 PM

Harleysvill - PA Insruance Dept. Jim John Phone Call

Vonney Shutt out of office, supervisor, took call, said he would


investigate and get back to me in a few days.

June 17, 2006


Saturday
8:00 PM - 8:30 PM

Tim McGraw & Faith Hill - SOLD OUT -- GIANT Center

Event Name:

2nd Show Added for Tim McGraw & Faith Hill - SOLD OUT

Type of Event:
Show
Entertainment
Venue:
Stan Caterbone

Concert

GIANT Center
1

9/25/2006 10:16 AM

June 17, 2006 Continued


Saturday
Hershey
Event Date(s):
6/17/06
Event Time(s):
8:00 PM
On-Sale Date:
3/25/06
On-Sale Time:
10:00 AM
Admission:
$87.75, $62.75 and $42.75
***8 Ticket Limit***
Processing fee will apply
Parking Fee is applicable
Event Details:
Their first scheduled show sold out in just
minutes. Now the most famous couple in country music will perform at
the GIANT Center on June 17 at 8 p.m. Tickets go on sale on Saturday,
March 25 at 10 a.m.
The mega-tour, which is expected to exceed 70 concert dates, will
kick off on April 21 at The Nationwide Arena in Columbus, Ohio.
Soul2Soul II puts to end a nearly six-year hiatus away from the road
for Hill, and puts McGraw back onstage in front of the loyal
audiences that have served to make him one of the music industrys
biggest touring acts.
Tim McGraw and Faith Hills Soul2Soul Tour

8:00 PM - 8:30 PM

Tim McGraw & Faith Hill - SOLD OUT -- GIANT Center

Event Name:

2nd Show Added for Tim McGraw & Faith Hill - SOLD OUT

Type of Event:
Show
Entertainment
Venue:
Hershey

Concert

GIANT Center

Event Date(s):
6/17/06
Event Time(s):
8:00 PM
On-Sale Date:
3/25/06
On-Sale Time:
10:00 AM
Admission:
$87.75, $62.75 and $42.75
***8 Ticket Limit***
Processing fee will apply
Parking Fee is applicable
Event Details:
Their first scheduled show sold out in just
minutes. Now the most famous couple in country music will perform at
the GIANT Center on June 17 at 8 p.m. Tickets go on sale on Saturday,
March 25 at 10 a.m.
The mega-tour, which is expected to exceed 70 concert dates, will
kick off on April 21 at The Nationwide Arena in Columbus, Ohio.
Soul2Soul II puts to end a nearly six-year hiatus away from the road
for Hill, and puts McGraw back onstage in front of the loyal
audiences that have served to make him one of the music industrys
biggest touring acts.
Tim McGraw and Faith Hills Soul2Soul Tour

Stan Caterbone

9/25/2006 10:16 AM

June 18, 2006


Sunday
8:00 PM - 8:30 PM

Tim McGraw & Faith Hill - SOLD OUT -- Hershey Stadium

Tim McGraw & Faith Hill - SOLD OUT

8:00 PM - 8:30 PM

Tim McGraw & Faith Hill - SOLD OUT -- Hershey Stadium

Tim McGraw & Faith Hill - SOLD OUT

8:00 PM - 8:30 PM

Tim McGraw & Faith Hill - SOLD OUT -- Hershey Stadium

Tim McGraw & Faith Hill - SOLD OUT

June 19, 2006


Monday
12:00 AM - 12:30 AM

Judge Mary McLaughlin Order for Amended Complaint

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE CIVIL ACTION
v.
LANCASTER COUNTY PRISON.
NO. 05-2288
ORDER
Filed JUN 19 20006
AND NOW, this 19th day of June, 2006, upon consideration of the
plaintiff's reply brief in support of his motion for an ex parte
meeting with the Court, IT IS HEREBY ORDERED that, to the extent that
the plaintiff is requesting leave to file an amended complaint: 1)
the request shall be deemed a motion to file an amended complaint;
and 2) the motion is GRANTED. Although the Court dismissed many of
the claims in the original complaint as time-barred, and the
plaintiff has not attached a proposed amended complaint to
demonstrate that he will be able to cure the deficiencies in the
original complaint, the plaintiff is entitled to amend his pleadings
once as a matter of course before a responsive pleading is served.
Fed. R. Civ. P. 15(a); Shane v. Fauver, 213 F.3d 113, 115 (3d Cir.
200

10:30 AM - 11:00 AM

H. Gus Dorn Commonwealth Of Pennsylvania

Advanced Media Group


220 Stone Hill Road
Conestoga, PA
17516
June 19, 2006
H. Gus Dorn
Commonwealth Of Pennsylvania
Office Of Attorney General
Bureau Of Consumer Protection
Harrisburg Regional Office
301 Chestnut Street, Suite 105
Harrisburg, PA 17101
(7171 787-7109
Stan Caterbone

9/25/2006 10:16 AM

June 19, 2006 Continued


Monday
May 31, 2006
Re: A-002594-2006
As per our conversation, I will address the issues contained in Mr.
Yarnells response to your office. Please not that I was not given
any of the exhibits that Mr. Yarnell submitted to your office.
On August 26,2005 we entered into an agreement with Mr. Caterbone
for the installation and monitoring of an alarm system at 220 Stone
Hill Road Conestoga, PA 17518. Our standard pricing for the system he
ordered is $1,899.00 and then he would pay $192.00 per year for the
monitoring of the system. Another option he was given was to pay
$1,324.00 for the installation and then pay $299.40 per year for 5
years. Mr. Caterbone chose the 2nd option. (Attached ma

11:30 AM - 12:00 PM

Visit Lancaster Courthouse PA Rules Book Returned to Briefcase -- Lancaster County Courthouse

Noticed when getting briefcase out to go into courthouse


Get release of lien doc from Prothonetary

June 20, 2006


Tuesday
4:00 AM - 4:30 AM

Woke up with legs locked

Both groins were locked, could not walk, hypnotized via tv??

10:30 AM - 11:00 AM

Hearing East Lampeter Prelim Hearing

1:30 PM - 2:00 PM

Visit Lancaster County Prothenetary Civil & Criminal -- Lancaster County Courthouse

File release of lien and get info for appeal for Tim Decker Eckert
Citation
Nunc Pro Tume for Eckert Appeal from Criminal Clerk of Courts
the plaintiff in the above Judgment, do hereby howledge to have
recieved fill satisfaction for the same, and
hereby authorize and empowet. the Prothonotary of the Court of Common
Pleas of Lancaster Camty to enter
satisfacticm thereon and release the same.
WITNESS Li dia 2 hmd and seal the '20 day of
3
COMMONWEALTH OF PENNSYLVANIA,
ss. :
A c o r n ,
Before me, the suhribet, a ndw,, ~ b \ ; c in and for said County,
personally came the abovenamed ~ i a ?nI '~ htebro rne
who in due form of law acknowleded the above Pbwer of Attorney to
release the above-stated Judgment, to be hi 5 - act and deed, to the
end that the same might
be recorded as such.
WITNESS my hand and seal the day and year above written,
No= Tbir pgsr must be rknowlcd&ad b& n falice af thv PPW. Motnly
Psblie, ar albar affias duly rwitld by
*w m tab 1 c f ~ l d ~ l 8

Stan Caterbone

9/25/2006 10:16 AM

June 20, 2006 Continued


Tuesday
3:30 PM - 4:00 PM

Harleysvill PA Insurnace Dept Vonney Shutt Phone Call -- Harrisburg,PA

Kept giving me a run around and saying "why don't you send it
certified"
Told her he has all he needs for claim, will not talk or communicate
with Plum, told her to do her job, I filed complaint, not him.go
to hell

3:30 PM - 4:00 PM

Harleysvill PA Insurnace Dept Vonney Shutt Phone Call -- Harrisburg,PA

Kept giving me a run around and saying "why don't you send it
certified"
Told her he has all he needs for claim, will not talk or communicate
with Plum, told her to do her job, I filed complaint, not him.go
to hell

5:30 PM - 6:00 PM

Don Totaro - email to All Contacts

http://gfx2.hotmail.com/lgo_msn_215x39.gif
amgroup01@msn.com Printed: Wednesday, June 21, 2006 4:49 AM
_____
From :
Stan Caterbone <amgroup01@msn.com>
Sent :
Tuesday, June 20, 2006 6:55 PM
To : ureyp@co.lancaster.pa.us
Subject :
What was today?
_____
ATTN - Mr. Don Totaro
Re:

CR-000169-06

What went on today in District Justice Commin's Courtroom at


approximately 11:00am?
You will not get away with all of your lies and deception. You
fabricated these charges last October, said you were going to refile
charges in December, never did, then when I put the truth before the
United States District Court for the Eastern District of
Pennsylvania, you refiled your fabricated charges.
Then today, encouraged everyone to lie under oath, including your
District Attorney, whoever she was.
You should be ashamed.

Advanced Media Group


Stan Caterbone
mailto: <http://by104fd.bay104.hotmail.msn.com/cgi-bin/compose?
mailto=1&msg=D

Stan Caterbone

9/25/2006 10:16 AM

June 21, 2006


Wednesday
6:30 AM - 7:00 AM

Email to Judicial Conduct Board for Commins Hearing

amgroup01@msn.com Printed: Wednesday, June 21, 2006 6:40 AM


_____
From :
Advanced Media Group <amgroup01@msn.com>
Sent :
Wednesday, June 21, 2006 6:36 AM
To : <joseph.massa@jcbpa.org>
CC : <amgauctions@comcast.net>, "Chief Fiorill "
<FiorillJ@police.co.lancaster.pa.us>
Subject :
Complaint No. 2006-215
_____
http://gfx2.hotmail.com/i.p.attach.gifAttachment :
MDJComminsSomethingHearingjun202006.pdf
<http://by104fd.bay104.hotmail.msn.com/cgi-bin/getmsg?
&msg=C61CCE00-13C8-4BEE-AFC9-B27AC357F29E&start=0&len=1463933
&mimepart=5&curmbox=00000000%2d0000%2d0000%2d0000%2d000000000001&a=
91c684f035c549da9f063c3e905d2718eb88843cfd77b39b9e7191b779191578
&vscan=scan> (0.62 MB), VonageRecordsforJune15toJune21.pdf
<http://by104fd.bay104.hotmail.msn.com/cgi-bin/getmsg?
&msg=C61CCE00-13C8-4BEE-AFC9-B27AC357F29E&start=0&len=1463933
&mimepart=6&curmbox=00000000%2d0000%2d0000%2d0000%2d000000000001&a=
91c684f035c549da9f063c3e905d2718eb88843cfd77b39b9e7191b779191578
&vscan=scan>

9:00 AM - 9:30 AM

Paid Eckert $25.00 for citations

SRP Officer said could not get a copy of files after asking Office
Manager - wanted me to cause disturbance so could cite me with
disordorly conduct or get another 302
She was abusive, kept trying to get me mad with back talk and kept
telling me it will cost me for citations, I would have to pay wether
in Bankruptcy or not.
Said will call when files are copied

11:00 AM - 11:30 AM

Public Defender Office

Get application, needed Police Complaints, will get later

11:30 AM - 12:00 PM

Visit Lancaster General Hospital

Sent to Corporate attorneys at 609 Cherry Street were not in said


will call back.

11:30 AM - 12:00 PM

Visit Lancaster General Hospital

Sent to Corporate attorneys at 609 Cherry Street were not in said


will call back.

4:00 PM - 4:30 PM

Public Defender Office

App accepted - wanted me to sign Waiver, would not without seeing it,
would not let me review document, did not let me in for a meeting,
said I would come back Friday.

Stan Caterbone

9/25/2006 10:16 AM

June 22, 2006


Thursday
3:00 AM - 3:30 AM

Comcast & Internet Shutt Off

Digital Cable went down.

9:00 AM - 9:30 AM

Hearing Majistrict Dist Hamilton 872-4361 -- 324 Beaver Valley Pike,Willow Street,PA 17584

COMMONWEALTH OF PENNSYLVANIA NOTICE OF CONTINUANCE


COUNTY OF LANCASTER
Mag Dist NO.
02-2-06 COMMONWEALTH OF PENNSYLVANIA
M W Name Hon
LEO H. ECKERT, JR
AddresS 841 STEHMAN ROAD
MILLERSVILLE,PA
VS.
DEFENDANT NAME and ADDRESS
Telephone (717 ) 872-4361 17551-9753
STANELY, J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
Date Flled: 4/12/06
Please note that the hearing in the above captioned case, which was
scheduled to occur on: 5/15/06
has been continued to:
If you have any questions, please contact this office immediaiely.
Date: 6/22/06
Time: 9:OO AM
Continuance requested by: MAGISGERIAL DISTRICT JUDGE
Place: DISTRICT COURT 02-3-03
324 BEAVER VALLEY PIKE
WILLOW STREET, PA 17584
If you are disabled and require assistance, please contact the
Magisterial District office at the address above.
I
COMPLAINT NUMBER: 060455C DATE PRINTED: 5/12/06 1:36:28 PM
DATE COMPLAINT SIGNED: 0/00/00

9:30 AM - 11:30 AM

Travel to Reading Bankruptcy Court to file brief -- Reading,PA

9:30 AM - 11:30 AM

Travel to Reading Bankruptcy Court to file brief -- Reading,PA

11:30 AM - 12:00 PM

Joe Pinto Clipper Stadim -- Clipper Stadium

Stop to see Joe about concert sales.


number.

Said "Bad" could not give

Rodie for Dwight Yocum was an arrogant sob


Guy from All access was telling me about previous shows, about 3000
average

11:30 AM - 12:00 PM

Joe Pinto Clipper Stadim -- Clipper Stadium

Stop to see Joe about concert sales.


number.
Stan Caterbone

Said "Bad" could not give

9/25/2006 10:16 AM

June 22, 2006 Continued


Thursday
Rodie for Dwight Yocum was an arrogant sob
Guy from All access was telling me about previous shows, about 3000
average

12:30 PM - 12:30 PM

Public Defender Office -- King Street

Come back after lunch

3:00 PM - 4:30 PM

Matt Bomberger - Public Defender Office

Wanted me to go over Busser case, would not, wanted to go over East


Lampeter 1st
Never said anything about waiver till I mentioned it, did not expect
to go over cases
Attitude towards Fed suits, other person in office kept heckling me,
asked who he was Steve Greenalay???
Went over statement gave reicept for D&S
Would not tell me if he was my public defender, said he didn't know
Wanted me to go over Busser case, said I was tired, later date, would
not agree to meet later or schedule a meeting to discuss, kept
wanting me to go over it then

5:00 PM - 5:30 PM

Chapter 11 Brief and Order Due

Hearing Date: June 29,2006


Time: ll:00 a.m.
Location: Courtroom #I, Reading, PA
IN THE UNITED STATES BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
IN RE: CHAPTER 11
STANLEY J. CATERBONE, BANKR. NO. 05-23059REF
Debtor.
UNITED STATES TRUSTEE'S MOTION TO DISMISS
OR CONVERT TO C M E R 7
The United States trustee for Region 3, in furtherance of the
administrative
responsibilities imposed pursuant to 28 U.S.C. Section 586(a), hereby
moves, pursuant to
1 1 U.S.C. 5 11 12(b), for the entry of an order dismissing this
case, or converting this case to one
under Chapter 7. In support of her motion, the United States trustee
represents as follows:
1. The Debtor commenced this case on May 23,2005, by filing a
volunta~y
petition under Chapter 11 of the United States Bankruptcy Code.
2. The Debtor's case has now been pending before this Court under
Chapter
11 for over one year and the Debtor has failed to file and/or obtain
approval of a disclosure
statement andlor conf

6:00 PM - 9:00 PM

Clint Black/Dwight Yoakam Concert at Clipper Magazine Stadium! -- Clipper Stadium

8:30 PM - 9:00 PM

Yokum/Black Concert

Estimate crowd at about 7,000, 10% of seats vacant, infield 80% full,
boxes looked 70%
Joe said only about 5,000.
Stan Caterbone

9/25/2006 10:16 AM

June 22, 2006 Continued


Thursday
11:30 PM - 12:00 AM

State police Found security breach in bedroom -

June 23, 2006


Friday
1:30 AM - 2:30 AM

Southern Regional & West Lampeter -- 220 Stone Hill Road

Call State Police for special services for finger print of window bar

2:30 AM - 3:00 AM

Comcast - Susan Gibson -- S. Duke Street

Said she would send repairman to fix. Said she did nothing with
account, and told repair dept to connect "Today"
Gave me Mabel Cob address for subpoena
Received call later, said it was a glitch in system.

6:00 PM - 6:30 PM

Dave Matthews Band and O.A.R. -- HERSHEYPARK Stadium

Dave Matthews Band and O.A.R.


Type of Event:
Concert
Show
Entertainment
Venue:
Hershey

HERSHEYPARK Stadium

Event Date(s):
6/23/06
Event Time(s):
7:00 PM
On-Sale Date:
4/8/06
On-Sale Time:
10:00 AM
Admission:
$56.50 reserved field - 2 Ticket Limit
$40.75 general admission field and reserved grandstands - 6 Ticket
Limit
Processing fee applies
Parking fee applicable
Event Details:
Highlights on this years trek through the States
include the bands second stand at New York Citys Randalls Island,
their annual three-night appearance at the Gorge Amphitheatre outside
of Seattle, and the bands first-ever performance at Hollywoods
famed Hollywood Bowl.
Last year, DMB spearheaded a fundraising effort highlighted by a
special appearance at Denvers famed Red Rocks, where they raised
more than $1.5 million for victims of Hurricane Katrina.
O.A.R.s brand new Everfine/Lava/Atlantic album, Stories of a
Stranger, sold more than 28,000 units in

6:00 PM - 6:30 PM

Dave Matthews Band and O.A.R. -- HERSHEYPARK Stadium

Dave Matthews Band and O.A.R.


Type of Event:
Concert
Show
Entertainment
Venue:
Hershey

HERSHEYPARK Stadium

Event Date(s):
Event Time(s):
On-Sale Date:
Stan Caterbone

6/23/06
7:00 PM
4/8/06
9

9/25/2006 10:16 AM

June 23, 2006 Continued


Friday
On-Sale Time:
10:00 AM
Admission:
$56.50 reserved field - 2 Ticket Limit
$40.75 general admission field and reserved grandstands - 6 Ticket
Limit
Processing fee applies
Parking fee applicable
Event Details:
Highlights on this years trek through the States
include the bands second stand at New York Citys Randalls Island,
their annual three-night appearance at the Gorge Amphitheatre outside
of Seattle, and the bands first-ever performance at Hollywoods
famed Hollywood Bowl.
Last year, DMB spearheaded a fundraising effort highlighted by a
special appearance at Denvers famed Red Rocks, where they raised
more than $1.5 million for victims of Hurricane Katrina.
O.A.R.s brand new Everfine/Lava/Atlantic album, Stories of a
Stranger, sold more than 28,000 units in

June 24, 2006


Saturday
All Day

PA Civil Rights Complaint Form Work in Progress

Civil Rights Enforcement


15th Floor, Strawberry Square
Harrisburg, PA 17120
(717) 787-0822
Fax: (717) 787-1190

2. IF EMPLOYMENT RELATED, WHOM IN MANAGEMENT HAVE YOU INFORMED OF


YOUR COMPLAINT?
WHAT ACTION WAS TAKEN?
3. DO YOU KNOW OF ANY OTHER INDIVIDUAL(S) WHO HAVE BEEN TREATED THE
SAME OR RECEIVED SIMILAR TREATMENT? No
WHAT HAPPENED TO THESE INDIVIDUALS?
4. DO YOU HAVE ANY WITNESSES TO VERIFY OR CONFIRM YOUR COMPLAINT? Yes
5. DID YOU SUFFER ANY MONETARY LOSS OR LOSS OF BENEFITS? PLEASE
EXPLAIN. Yes
6. PROVIDE THE DATE(S) OF INCIDENT(S):
July 2, 1987 - In an effort to continue all efforts and business
activities, Stan Caterbone visits the Office Works, owned and
operated by High Industries, to purchase a printer while staying in
Stone Harbor. FMG, Ltd., had an open account, which Stan Caterbone
authorized, as an officer of FMG, Ltd.,. The Office Works demands
cash payment and refuses to put the purchase on credit.
July 6, 1987 - In an e
Stan Caterbone

10

9/25/2006 10:16 AM

June 24, 2006 Continued


Saturday
All Day

PA Civil Rights Complaint Form Work in Progress

Civil Rights Enforcement


15th Floor, Strawberry Square
Harrisburg, PA 17120
(717) 787-0822
Fax: (717) 787-1190

2. IF EMPLOYMENT RELATED, WHOM IN MANAGEMENT HAVE YOU INFORMED OF


YOUR COMPLAINT?
WHAT ACTION WAS TAKEN?
3. DO YOU KNOW OF ANY OTHER INDIVIDUAL(S) WHO HAVE BEEN TREATED THE
SAME OR RECEIVED SIMILAR TREATMENT? No
WHAT HAPPENED TO THESE INDIVIDUALS?
4. DO YOU HAVE ANY WITNESSES TO VERIFY OR CONFIRM YOUR COMPLAINT? Yes
5. DID YOU SUFFER ANY MONETARY LOSS OR LOSS OF BENEFITS? PLEASE
EXPLAIN. Yes
6. PROVIDE THE DATE(S) OF INCIDENT(S):
July 2, 1987 - In an effort to continue all efforts and business
activities, Stan Caterbone visits the Office Works, owned and
operated by High Industries, to purchase a printer while staying in
Stone Harbor. FMG, Ltd., had an open account, which Stan Caterbone
authorized, as an officer of FMG, Ltd.,. The Office Works demands
cash payment and refuses to put the purchase on credit.
July 6, 1987 - In an e

All Day

PA Civil Rights Complaint Form Work in Progress

Civil Rights Enforcement


15th Floor, Strawberry Square
Harrisburg, PA 17120
(717) 787-0822
Fax: (717) 787-1190

2. IF EMPLOYMENT RELATED, WHOM IN MANAGEMENT HAVE YOU INFORMED OF


YOUR COMPLAINT?
WHAT ACTION WAS TAKEN?
3. DO YOU KNOW OF ANY OTHER INDIVIDUAL(S) WHO HAVE BEEN TREATED THE
SAME OR RECEIVED SIMILAR TREATMENT? No
WHAT HAPPENED TO THESE INDIVIDUALS?
4. DO YOU HAVE ANY WITNESSES TO VERIFY OR CONFIRM YOUR COMPLAINT? Yes
Stan Caterbone

11

9/25/2006 10:16 AM

June 24, 2006 Continued


Saturday
5. DID YOU SUFFER ANY MONETARY LOSS OR LOSS OF BENEFITS? PLEASE
EXPLAIN. Yes
6. PROVIDE THE DATE(S) OF INCIDENT(S):
July 2, 1987 - In an effort to continue all efforts and business
activities, Stan Caterbone visits the Office Works, owned and
operated by High Industries, to purchase a printer while staying in
Stone Harbor. FMG, Ltd., had an open account, which Stan Caterbone
authorized, as an officer of FMG, Ltd.,. The Office Works demands
cash payment and refuses to put the purchase on credit.
July 6, 1987 - In an e

June 26, 2006


Monday
9:00 AM - 9:30 AM

Done Eckert Payment due $25.00 Conestoga speeding & inspection citations

COMMONWEALTH OF PENPJSYLVANIA
COUNTY OF: W T t l s C
MPO Ma. NR:
02-2-06
mknec Wm.
w HI -T, JP
841 0- EUAD
H X ~PA ~ ,
ORDER IMPOSING SENTENCE
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDAM: NAME%-~AWRESS
ST- J.
220 BTmm HILL POlrD -, PA 17516
- YOU fHA* , y o u *
rice pummm Pa,
you to the following:
i
Sentenced to Fines, Costs, a& Restitution
You are hereby order8cl to make payment to thib court on
You are Mnby ordered to make an init'ilgyment to this court h the
amount oi $ - on-Refer to the Magisterial DWkt Judge Payment Order for additional
payment
&dub information. You are hereby ordered to make an initial payment of $
due on or before + Thereafter. a minimum payment of $
shall be made to this court with a final payment on
Refer to the Magisterial District Judge Payment Order for additional
payment schedule information.
Alternate Sentendlntemediate Puni-s hment 4 * + : *,--.---- .----.:
to commence on and conelude on
Sentenced to Imprisonment

Stan Caterbone

12

9/25/2006 10:16 AM

June 27, 2006


Tuesday
9:30 AM - 10:00 AM

MDJ Ballentine Request for Proposal

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF LANCASTER
REQUEST FOR SUBPOENA
Magisterial District Justice No.:

0 2 - 2 - 0 1

Kelly S. Ballentine, Esq


123 Locust St-Rear
Lancaster, Pa
717-299-7974
717-299-8375 Fax
Request For Subpoena
Caterbone, Stanley, J.
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184
Vs.
Defendant:
Comcast Cable
1113 South Duke St
Lancaster, Pa 17602
Date Filed: 06/27/2006
Re: Stanley J. Caterbone
Vs: Comcast Cable And Susan Gibson
Docket No. Cv-160-06
Subpoena Name And Address:

Mabel Cob
Bankruptcy Department
New Castle Call Center
4008 North DuPont Hwy
New Castle, De
19720
302-661-8228

IN FORMA PAUPERIS

1. I am the plaintiff in the above matter and because of my financial


condition am unable to pay the fees and costs of prosecuting or
defending the action or proceeding.
2. I am unable to obtain funds from anyone, including my family and
associates, to pay the costs Lit

10:00 AM - 10:30 AM

PA Civil Rights Nelson Brewster Atty Investigator

Civil Rights Enforcement


15th Floor, Strawberry Square
Harrisburg, PA 17120
(717) 787-0822
Fax: (717) 787-1190
Stan Caterbone

13

9/25/2006 10:16 AM

June 27, 2006 Continued


Tuesday

2. IF EMPLOYMENT RELATED, WHOM IN MANAGEMENT HAVE YOU INFORMED OF


YOUR COMPLAINT?
WHAT ACTION WAS TAKEN?
3. DO YOU KNOW OF ANY OTHER INDIVIDUAL(S) WHO HAVE BEEN TREATED THE
SAME OR RECEIVED SIMILAR TREATMENT? No
WHAT HAPPENED TO THESE INDIVIDUALS?
4. DO YOU HAVE ANY WITNESSES TO VERIFY OR CONFIRM YOUR COMPLAINT? Yes
5. DID YOU SUFFER ANY MONETARY LOSS OR LOSS OF BENEFITS? PLEASE
EXPLAIN. Yes
6. PROVIDE THE DATE(S) OF INCIDENT(S):
July 2, 1987 - In an effort to continue all efforts and business
activities, Stan Caterbone visits the Office Works, owned and
operated by High Industries, to purchase a printer while staying in
Stone Harbor. FMG, Ltd., had an open account, which Stan Caterbone
authorized, as an officer of FMG, Ltd.,. The Office Works demands
cash payment and refuses to put the purchase on credit.
July 6, 1987 - In an e

June 28, 2006


Wednesday
10:30 AM - 11:00 AM

Civil Rights Enforcement Complaint Finished

Civil Rights Enforcement


15th Floor, Strawberry Square
Harrisburg, PA 17120
(717) 787-0822
Fax: (717) 787-1190

2. IF EMPLOYMENT RELATED, WHOM IN MANAGEMENT HAVE YOU INFORMED OF


YOUR COMPLAINT?
DAVID PFLUMM; PFLUMM CONTRACTORS, INC., FEBRUARY OF 1998
WHAT ACTION WAS TAKEN?
NONE
3. DO YOU KNOW OF ANY OTHER INDIVIDUAL (S) WHO HAS BEEN TREATED THE
SAME OR RECEIVED SIMILAR TREATMENT?
NO
WHAT HAPPENED TO THESE INDIVIDUALS?
4. DO YOU HAVE ANY WITNESSES TO VERIFY OR CONFIRM YOUR COMPLAINT?
YES
Stan Caterbone

14

9/25/2006 10:16 AM

June 28, 2006 Continued


Wednesday
5. DID YOU SUFFER ANY MONETARY LOSS OR LOSS OF BENEFITS? PLEASE
EXPLAIN
YES
VARIOUS BUSINESS INTERESTS
1.
FINANCIAL MANAGEMENT GROUP,LTD., AND ALL RELATED OPPORTUNITIES
1987
a.
FMG ADVISORY,LTD. REGISTERED INVESTMENT ADVISOR
b.
FINANCIAL MANAGEMENT GROUP,LTD., STOCK AND
OPTIONS AND FRANCHISING OPPORTUNITIES
c.
MORTGAGE BANKING OPERATIONS
d.
VENTURE CAPITAL OPPORTUNITIES
e.
AVIATION CHARTER BUSINESS AND OPPORTUNITIES
2.
POWER PRODUCTIONS

2:00 PM - 2:30 PM

Hearing District Maj Smith - HIA Parking -- 1281 South 28th Street,Harrisburg,PA 17111

I COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: DAUPHIN
Mag Dist. No
12-2-01
MDJ Name Hon.
MICHAEL J. SMITH
1281 S 28TE ST
HARRISBURG, PA
STAN CATERBONE
220 STONE HILL RD.
COElESTOGA, PA 17516
1 I
NOTICE OF CONTINUANCE
Telephone (717 ) 558-1160 17111
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT: NAME AND ADDRESS
CATERBONE, STAN
220 STONE HILL ROAD
CONESTOGA, PA 17516
Date Filed: 4/24/06
Please note that the hearing in the above captioned case, which was
scheduled to occur on: 6/14/06
has been continued to: June 28th, 2006
2:15 PM
If you have any questions, please contact thls offlce immediatley
Cont~nuancere quested by BURNS, STEVEN G.
If you are disabled and require assistance, please contact the
Magisterial District office at the address above.
5/15/06 Date
My commission expires first Monday of January
CITATION NUMBER: B1270724-0
DATE PRINTED:
05/15/06
9:37:30
AM
DATE CITATION ISSUED: 4/24/06
_________________________________________

Stan Caterbone

15

9/25/2006 10:16 AM

June 28, 2006 Continued


Wednesday
2:00 PM - 2:30 PM

Hearing District Maj Smith - HIA Parking -- 1281 South 28th Street,Harrisburg,PA 17111

I COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: DAUPHIN
Mag Dist. No
12-2-01
MDJ Name Hon.
MICHAEL J. SMITH
1281 S 28TE ST
HARRISBURG, PA
STAN CATERBONE
220 STONE HILL RD.
COElESTOGA, PA 17516
1 I
NOTICE OF CONTINUANCE
Telephone (717 ) 558-1160 17111
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT: NAME AND ADDRESS
CATERBONE, STAN
220 STONE HILL ROAD
CONESTOGA, PA 17516
Date Filed: 4/24/06
Please note that the hearing in the above captioned case, which was
scheduled to occur on: 6/14/06
has been continued to: June 28th, 2006
2:15 PM
If you have any questions, please contact thls offlce immediatley
Cont~nuancere quested by BURNS, STEVEN G.
If you are disabled and require assistance, please contact the
Magisterial District office at the address above.
5/15/06 Date
My commission expires first Monday of January
CITATION NUMBER: B1270724-0
DATE PRINTED:
05/15/06
9:37:30
AM
DATE CITATION ISSUED: 4/24/06
_________________________________________

June 29, 2006


Thursday
1:00 PM - 1:30 PM

Judicial Complaint Revue Board Letter via mail

Commonwealth of Pennsylvania
Judicial Conduct Review Board
Pennsylvania Place
501 East Chestnut Street
Suite 403
Harrisburg, PA
17101
717-234-7911
June 29,2006
Stanley Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Stan Caterbone

16

9/25/2006 10:16 AM

June 29, 2006 Continued


Thursday
Dear Mr. Caterbone:
This letter will acknowledge receipt of your corrvndence dated June
27,2006, wherein you inquire about your recently filed complaints.
Specifically, you advise "I have no idea which complaint number is
assigned to what complaint" and request
clarification. The following list represents your recently filed
pending complaints:
2006-2 14 (MDJ William G. Reuter)
2006-2 1 5 (MDJ B. Denise Commins)
2006-220 (MDJ Lm H. Eckert, Jr.)
2006-221 (MDJ Stuart J. Mylh)
a 2006-222 (MDJ Maynard A. Hamilton, Jr.)
2006-224 (Judge David Reineker)
I trust this cIarifies any confusion mated by our previous
correspondence with regard to each individual complaint number
assignment.
I remind you the Pennsylvania Constitution provides

June 30, 2006


Friday
1:00 PM - 1:30 PM

Lancaster Co Prison Dismissal Order Appel & Yost

HARRY 8. YOST
JAMES W. APPEL
JOHN L. SAMPSON
KENNETH H. HOWARD
WILLIAM A. WHEATLY
WILLIAM J. CASSIDY, J R .
MAlTHEW G. GUNTHARP
ELAINE G. UGOLNIK
ROBERT W. HALLINGER PETER 8. ASTORINO
ERAOLEYA. ZUKE
RETIRED
T. ROBERTS APPEL. I1
GRETA R. AUL
OF COUNSEL
J. MARLIN SHREINER
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 175 16
LAW OFFICES
THIRlY-THREE NORTH DUKE STREET
LANCASTER. PENNSYLVANIA 17602
(7171 384-0521
FAX(717)431-1664
(emmi0 DonruO@appeIyost.com
June 30,2006
Stone Harbor Police Department
9508 Second Avenue
Stone Harbor, NY 08247
ROBERTS R. APPEL 11832-1986)
RALPH W. EBY. JR. (1841-1886)
MERRILL L. HASSEL 11941-1972)
OFFICE AT NEW HOLLAND. PA
142 EAST MAIN STREET
Stan Caterbone

17

9/25/2006 10:16 AM

June 30, 2006 Continued


Friday
(71 71 354-a1 17
OFFICE AT STRASSURQ. PA
39 EAST MAlN STREET
(7171 687-7071
OFFICE AT QUARRYYaLE.PA
175 OAKBOTTOM RD
(717) 788-31 72
OFF ICE AT EPHRATA. PA
123 EAST MAlN STREET
(7171 733-2104
OFFICE AT CHRISTIANA, PA
4 SADSBURY AVENUE
(810) 593-6740
Patricia J. Bax

July 02, 2006


Sunday
1:00 PM - 8:00 PM

Blondie and Cars Clipper -- Clipper Stadium

1:00 PM - 8:00 PM

Blondie and Cars Clipper -- Clipper Stadium

1:00 PM - 8:00 PM

Blondie and Cars Clipper -- Clipper Stadium

July 03, 2006


Monday
1:00 PM - 1:30 PM

Judge Mary McLaughlin Order to Lancaster Co Prison

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE 30 CIVIL ACTION
v.
LANCASTER COUNTY PRISON, et al. : NO. 05-2288
AND NOW, this 36fh of Tune, 2r06, upon consideration of the motion to
dismiss of Lancaster County Prison (Doc. No. 32).
whereas the Court dismissed the complaint as to Lancaster County
Prison on June 12, 2006, and whereas the plaintiff has not filed an
amended complaint, IT IS HEREBY ORDERED that the motion is DENIED as
MOOT.
BY THE COURT:
MARY -A. MCLAUGHLIN, J?

1:00 PM - 1:30 PM

PP&L Shut-Off Notice

July 05, 2006


Wednesday
9:30 AM - 10:00 AM

Hearing Dist Justice M Hamilton 464-4141 -- 324 Beaver Valley Pike, Willow Street,PA 17584

Fiorril lied about waving hands, giving him the finger, with both
hands on wheel, was taking picture, about tailing him 1 to 2 feet
going 45 mph for 1/2 to 3/4 miles, said happened after Amish Store.
Said I said " Go Fuck Yourself".
Judge never questioned Fiorell, just asked why he would lie, I said
because of Law Suits. Questioned why no finger printing, Judge
questioned me about someone stealing picture from computer of Fiorril
Stan Caterbone

18

9/25/2006 10:16 AM

July 05, 2006 Continued


Wednesday
during incident. Questioned me about mattress on Fiorrel roof of
car. Fiorill kept staring at me for long periods of time when I was
on the witness stand, was only 4 feet from me, trying to intimidate
me.
Judge was arrogant and would not listen to a word I said, kept trying
to rush my testimony, and kept trying to intimidate me by supporting
Fiorril. Told him Police Officers can lie to.
_____________________________________________________________________
_________________________________
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE:

9:30 AM - 10:00 AM

Hearing DJ Hamilton Busser -- 324 Beaver Valley Pike, Willow Street,PA 17584

Arrived 8:50 am, did not have a file. Matt Bomberger was already in
office behind the glass window with Hamilton's staff. Asked
Bomberger what his defense was, and told me to go outside, asked him
why he would not meet with me, he said he was out of office Friday
and Monday, and said about wanting to go over the file in the
meeting, reminded him about having the brief due, and that I was not
informed this hearing was on the schedule. I notified staff I had to
go home, walked outside and Busser pulled up, Bomberger said wait the
officer is here, I said I don't care, he said my defense is "you
didn't know what you were doing", I said you better find a better
defense than that.
Got back Officer Eisenhower of West Lampeter told me he had to frisk
me for weapons at the request of the Judge, and frisked me and
emptied my pockets right outside of the courtroom; and Judge
immediately started Hearing, Fired Bomberger because of inadequate
defense, Judge asked about if I knew of ramificati

11:00 AM - 11:30 AM

Call for Chapter 11 Hearing Transcript

July 06, 2006


Thursday
8:00 PM - 8:30 PM

Lancaster County Public Defender Letter to

Stan J. Caterbone
Advanced Media Group
220 Stone Hill Road
Conestoga, PA
17516
July 6, 2006
James J. Karl
Chief Public Defender
Lancaster County Commissioners
Office Of The Public Defender
28 East King Street
Second Floor. Suite 213
Po Box 83480
Lancaster. Pa 17608.3480
Re: Commonwealth v. Stanley Caterbone; OTN # K391399-1
Dear Mr. Karl:
On Wednesday, July 5, 2006 I had to dismiss your Assistant Public
Defender Mr. Matt Bomberger prior to the start of the Preliminary
Stan Caterbone

19

9/25/2006 10:16 AM

July 06, 2006 Continued


Thursday
Hearing scheduled before Magisterial District Judge Maynard Hamilton.
I had asked Mr. Bomberger prior to the start of the Hearing what was
he going to use for my defense, and he replied; You did not know
what you were doing. I asked him to rethink his strategy and come
up with another plan. He refused. He had violated his professional
code of ethics and your mandated authorization to provide me with a
competent legal defense.
I had requested meeting with Mr. Bomberger on numer

July 09, 2006


Sunday
7:30 PM - 8:00 PM

LadyBalcksmith

July 10, 2006


Monday
12:00 AM - 12:30 AM
1:00 PM - 1:30 PM

MDJ Commins East Lampeter Appeal Due


Letter from Public Defender

COUNTY COMMISSIONERS
DICK SHELLENBERGER, Chairman
HOWARD "PETE SHAUB
MOLLY S. HENDERSON
COUNTY
OFFICE OF THE PUBLIC DEFENDER
29 EAST KING STREET
SECOND FLOOR, SUITE 213
PO BOX 83480
LANCASTER, PA 17608-3480
TELEPHONE 717-299-8131
JAMES J. KARL
Chief Public Defender
July 10, 2006
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Re: status of Public Defender representation in your 2 pending cases
Dear Mr. Caterbone:
You have 2 sets of criminal charges pending against you. First, there
are charges that were filed by the East Lampeter Township Police
Department. The charges included harassment, disorderly conduct, and
theft of services. You represented yourself at the preliminary
hearing before Judge Commins. The judge determined that there was a
prima facie case and bound over the charges to the Court of Common
Pleas. They are docketed to Information No. 2843-2006. The next court
proceeding is Arraignment on July 26, 2006, at 9:00 A.M. in Courtroom
A of

July 11, 2006


Tuesday
9:00 AM - 9:30 AM

Hotelliers Horst & Fairfiled File Suit

2 area hotels file lawsuit over room tax


Targets downtown project
Stan Caterbone

20

9/25/2006 10:16 AM

July 11, 2006 Continued


Tuesday
BY P.J. REILLY, Intelligencer Journal Staff
The owners of two Lancaster County hotels on Tuesday filed a lawsuit
claiming the county's hotel room tax is unconstitutional. Horst
Hotels Co., owner of Fairfield Inn by Marriott in Manheim Township,
and Ephrata Motel
Partners, owner of Holiday Inn in Denver, filed the suit in Lancaster
County Court. Named as defendants are the
Redevelopment Authority of City of Lancaster, Lancaster County
Convention Center Authority and Penn Square
Partners. Those three entities are behind plans to build a 300-room
Marriott Hotel and 220,000-square-foot convention center at the site
of the former Watt & Shand department store on Penn Square. Lancaster
County also is named as a defendant. The lawsuit asks that the 1999
county ordinance that established the tax be declared
unconstitutional. It also seeks a permanent injunction preventing the
county from enforcing the ordinance and asks t

6:00 PM - 6:30 PM

Website Hacked - Cannot Edit Site & Statistics Corrupted

Day

Hits
Files
Pages
Visits
Sites
KBytes
_____________________________________________________________________
______________________________
5
3 0. 03%
3 0
.04% 0
0.00%
0 0.0 0%
1
0.57%
19 0 .03%
6
0 0
.00%
0 0
.00% 0 0
.00%
0 0
.00%
0
0.00% 0 0 .00%
7
981 8 .31%
605
7.28% 138
19.80%
22
13.92% 251
4.29%
3759 6.20%
8
1191 10.0%
907
10.92%
120 17.22%
20
12.66% 21
12.00%
4889 8.06%
9
1544 13.08%
1372 16.51% 118
16.93%
45
28.48% 61
34.86%
4260 7.02%
10
5988
50.72%
3790 45.61% 184
26.40%
26
1
6.46% 31
17.71%
38389 63.27%
11
2093 17.73%
1627 19.58% 134
19.23%
42
26.58% 56
32.00%
9316
15.35%
12
7 0
.06%
5
0.06%
3 0
.43% 3
1
.90% 6
3.43%
46
0.08%

July 12, 2006


Wednesday
6:00 AM - 6:30 AM

Website Hacked - Locked Out

From :
<support@sitewebmasters.com>
Sent :
Wednesday, July 12, 2006 1:52 PM
To : amgroup01@msn.com
Subject :
Reply: Site Builder #741810
_____

======== CUT HERE =========


Your support request was answered:
Created: Jul 12, 2006 10:41:58 AM
Last Mod: Jul 12, 2006 10:48:42 AM
Assigned To:
SiteWebMastersAdmin(Site WebMasters Main Account)
Stan Caterbone

21

9/25/2006 10:16 AM

July 12, 2006 Continued


Wednesday

[Jul 12, 2006 10:52:48 AM]


A: It should be working now.

Please try again.

Thank you,
Blair Williams
------------------------------------------------------[Jul 12, 2006 10:41:58 AM]
Q: Locked out of site builder, said if using a Host, Contact Host.
Cannot Edit
Site.
------------------------------------------------------Thank you,
Blair Williams
SiteWebmasters - Tech Support
blair@sitewebmasters.com <http://by104fd.bay104.hotmail.msn.com/cgibin/compose?curmbox=9DB6E842-7C9B-474C-96A8-3BD12D6DC0EE&a=
91c684f035c549da9f063c3e905d2718523e00bd6df932c5190d148fb20211b0
&mailto=1&to=blair@sitewebm

8:00 AM - 8:30 AM
11:30 AM - 12:00 PM

Sheryl Today Show New York


Meeting - Lancaster Country Detective Landis - Hackers

Gave card to receptionsist, told her to tell him he needs specialist


for Hackers, per preveious complaint.
Convention Center Hearing waiting line of 12.

July 13, 2006


Thursday
All Day

Appeal PENN DOT Drivers License Suspension -- Lancaster County Courthouse, 50 N. Duke Street,
Lancaster, PA 17602

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
COUNTY OF LANCASTER
CRIMINAL DIVISION

COMMONWEALTH OF
PENNSYLVANIA:
001

WID 061879283707004
WID 061879283707016

001
CIVIL DIVISION
Vs.
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
717-430-8184

Stan Caterbone

22

9/25/2006 10:16 AM

July 13, 2006 Continued


Thursday
NOTICE OF APPEAL
On this day of July 13, 2006, the Plaintiff, Stanly J.
Caterbone, in the above Notice of Suspensions filed on mail date July
13, 2006 by the Commonwealth of Pennsylvania, Department of
Transportation, Bureau of Driver Licensing, is herby appealing this
decision in the Court of Common Pleas.
The Plaintiff will appeal this decision based on allegations of
retaliatory, political discrimination, and prosecutorial misconduct.
A Brief will be filed as soon as required by the Courts. Federal
Civil Actions 05-2288 and 06-1538 in the United States District Court
for the Eastern District of Pennsylvania, are taking precedent.
The Defendant will als

3:00 AM - 3:30 AM

Citzens Bank Extortion

amgroup01@msn.com Printed: Friday, July 14, 2006 8:08 AM


From :
Advanced Media Group <amgroup01@msn.com>
Sent :
Friday, July 14, 2006 4:41 AM
To : "Bargain Land " <shipping@bargainland.net>,
<danielberger@comcast.net>, "endofauction" <endofauction@ebay.com>,
"GGordon" <GGordon@fult.com>, "High Group" <nfo@high.net>, "Lancaster
County Commissioners " <McCueA@co.lancaster.pa.us>, "Lancaster
Intell" <IntellLetters@lnpnews.com>, "Lancaster New Era"
<neweraLetters@lnpnews.com>, "Mike Caterbone " <mtciidd@aol.com>,
"Owen Kugel " <owenrkugel@juno.com>, "Patrice Dixon "
<HSDuncan@juno.com>, "Patrick Snyder " <psnyder@uncb.com>, "Pete Horn
" <Rhino1818@aol.com>, "Phil " <caterbone@sbcglobal.net>, "Phyllis
Crews " <Phyllis.Crews@richardson.k12.tx.us>, "Ray Sawiski "
<rsawicki@decommunications.com>, "Stan Caterbone "
<amgauctions@comcast.net>, "Sunday Newspapers" <sunnews@lnpnews.com>
Subject :
Lancaster County Banks
Attachment :
AMGWelcomePageforjuly1420.pdf (0.08 MB)
The following

10:00 AM - 10:30 AM

Harleysville Insurance Inspection 220 Stone Hill Road -- Conestoga, PA 17516

See audio tape, went through and took pictures and note for
everything on list, added glasses, chain saw, wireless headset, itc.
McShea Associates, Inc.,
Insurance Adjusters
Suite 2A11
47 Marchwood Road
Exton, PA
19431
717-299-9395
610-524-9393
610-524-2413 fax

1:00 PM - 1:30 PM

MDJ Hamilton Firorill Appeal -- 50 N. Duke St, Lancaster, PA 17602

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
COUNTY OF LANCASTER
CRIMINAL DIVISION
Stan Caterbone

23

9/25/2006 10:16 AM

July 13, 2006 Continued


Thursday

COMMONWEALTH OF
PENNSYLVANIA:

TR-0001010-06
TR-0001011-06
CRIMINAL DIVISION

Vs.
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
717-430-8184

NOTICE OF APPEAL
On this day of July 13, 2006, the Defendant, Stanly J.
Caterbone in the above criminal cases is hereby filing an Appeal by
Trial De Novo in the Court of Common Pleas. The Defendant alleges
that prosecutorial misconduct, discrimination, and obstruction of due
process were committed.
The Defendant will also request that this case be in Forma
Pauperis.

Dated:
July 13, 2006
____________________________
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA
17516
717-431-8184

COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
LANCASTER COUNTY

CERTIFICATE OF SERVICE

Stanley J. Caterbone
Represented

Stan Caterbone

24

9/25/2006 10:16 AM

July 14, 2006


Friday
9:00 AM - 9:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

6:00 PM - 9:00 PM

Ashlee Simpson -- Hershey

9:30 PM - 10:00 PM

Sheryl at Trumps in Atlantic City -- Antlantic City, New Jersey

July 16, 2006


Sunday
6:00 PM - 6:30 PM

Stan Caterbone

Lynard Skynad & 3 Doors Down -- Hershey

25

9/25/2006 10:16 AM

July 17, 2006


Monday
9:00 PM - 9:30 PM

Sheryl on Larry King LIVE

July 19, 2006


Wednesday
9:00 AM - 9:30 AM

JOSEPH S. SOLOMON 1705 I@ FRONT ST HARISBURG. PA17102 255-1365

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: DAUPHIN
Map. DISI. No:
12-1-03
MDJ Name Hon
JOSEPH 8. SOLOMON
Add'ess 1705 I@ FRONT ST
HAIU(1SBURG. PA
STAH CATERBOME
220 STOME HILL 9.D
CONESTOGA, PA 17516
NOTICE OF TRIAL
SUMMARY CASE
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT. NAME and ADDRESS
TCATEBBONE, STAH 1
220 STONE HILL 9.D
CONESTOGA, PA 17516
L _I
Docket No.: TR-0005057-06
7Date Filed: 6/16/06
I I
This court has received your plea of NOT GUILTY to the above summary
violation(s). The sum of $ .OO has been accepted as collateral for
your appearance at trial Your trial has been scheduled as follows:
I1 II I(
You have the right to be represented by an attorney. You have the
right to have any witnesses present. It is your responsibility to
notify your attorney andlor witnesses of this trial date and time.
Date. 7/19/06
Time: 9:00 AM
Should you fail to appear for your trial, a warrant may be issued for
your arrest
Place: DISTRICT COURT 12-1-03
1705 N FRONT ST

July 20, 2006


Thursday
10:00 AM - 10:30 AM

MDJ Banllentine Comcast Civil Action -- 123 Locust Street,Lancaster,PA 17602 299-7974

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF LAMCASTER -Mag DlSt NO .02-2-01
MDJ Name Hon KELLY S. BALLENTINE,ESQ
123 LOCUST ST-REAR
LANCASTER, PA 17602
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
NOTICE OF CONTINUANCE
Stan Caterbone

26

9/25/2006 10:16 AM

July 20, 2006 Continued


Thursday
PLAINTIFF NAME and ADRESS
'CATERBONE, STANLEY J
220 STONE HIL ROAD
CONESTOGA, PA 17516
VS.
DEFENDANT NAME and ADDRESS
COMCAST CABLE, ET AL
Docket No.: CV-0000160-06
Date Filed: 4/27/06
Please note that the hearing in the above captioned case, wfli~hw as
scheduled to occur on: 6/15/06
has been continued to:
If you have any questions, please contact this office immediately.
Date 7 / 2 0 / 0 6 place DISTRICT COURT 0 2 - 2 - 0 1
Continuance requested by: COMCAST CABLE
TIme 10:OO AM
If you are disabled and require assistance, please contact the
Magisterial District office at the address above.
6 / 2 0 / 0 6 Date
My commission expires first Monday of January 2012
DATE PRINTED: 6/20/06 8:51:57 AM

July 23, 2006


Sunday
7:30 AM - 8:00 AM

Fox and Friends Post Truamatic Stress Syndrom with Dr...

July 24, 2006


Monday
All Day

Federal 05-2288 Fulton Bank Response Due

July 25, 2006


Tuesday
1:00 PM - 2:00 PM

PPL Electric Shut-Off -- 220 Stone Hill Road

July 26, 2006


Wednesday
9:00 AM - 9:30 AM

MDJ Comins East Lampeter Preliminary Hearing -- Lancaster County Courthouse

Another Calender Change by Hackers

July 27, 2006


Thursday
9:00 AM - 10:00 AM

Stan Caterbone

PPL Civil Action Filed -- Lancaster County Courthouse

27

9/25/2006 10:16 AM

July 28, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

9:00 AM - 9:30 AM
10:00 AM - 11:00 AM

MDJ Solomon Warrant of Arrest Fine Indegent Due


Filed Informa Pauperis for Southern Regional Police Appeal

to Superior Court

10:00 AM - 11:00 AM

Refiled Fulton Mortgage Judgement to Superior Court -- Lancaster County Courthouse

July 31, 2006


Monday
1:00 PM - 2:00 PM

Stan Caterbone

Emailed Jen from Tees Computer was hacked

28

9/25/2006 10:16 AM

August 01, 2006


Tuesday
9:00 AM - 10:00 AM

File East Lampeter Appeal Documents

10:00 AM - 11:00 AM

File Harleysville Civil Action

August 03, 2006


Thursday
8:00 PM - 9:00 PM

Barnstormers Game

Talke to Dick Shellenberger about Convention Center and Brunswick, he


said about Marylinn doing Watt and Shand and Meetina and Conference
Center at Brunswick, told hme about Intellectual property rights.

10:00 PM - 11:00 PM

Alley Kat Bar -- 28 W Lemon Street, Lancaster,PA 17603

Sheryl Look alike (Andrea-Allisa-? tall), Wickenheiser,Dino D. Jimmy,


Al Mongeou,McCaskey '84,

August 04, 2006


Friday
1:30 AM - 2:30 AM

Southern Regional Police -- Pine View Dairies

Notice car tailing me on New Danville Pike, put left turn signal on
to pull into Pine View Dairies, Police Lights went on after I started
to pull into parking lot. got out of car and put my hands in air and
said "take me in", they ordered me back into the van, and I locked
all doors. They wanted my drivers license, I said call the State
Police. Would not let them in, eventually busted out passenger side
window. Opened my door,and threw me to ground, handcuffed me and
emptied pockets. Kept asking why the pulled me over after I turned
into parking lot, would not respond. Put me into cruiser and let me
sit for about 20 or 30 minutes. Present was cramer, west lampeter
Eisenhowser, and two others. said my van would be towed, and took me
to SRPD presinct. gave me breathelyzer, passed .076 and .073. Went
through a bunch of bullshit, gave me a tape of my breathelyzer and
said I would get something in the mail. took me home to 220 stone
hill.

8:00 AM - 9:00 AM

Custom Classics` -- Stone Hill Road

Said no van, did not recieve any call from SRPD.

8:15 AM - 9:15 AM

Pine View Dairies -- New Danville pike

No van.

8:30 AM - 9:30 AM

Soutern Regional Police Department -- Conestoga

Busser said they called Custom Classics and van was there, I said he
was lying, and he went inot his you better settle down mode, I walked
out and said I was goint to the Lancaster County DA Office.

9:00 AM - 10:00 AM

Prothonetaries Office -- Lancaster County Courthouse

Asked for copies of all files from past 10 days.

Stan Caterbone

29

Sue, short hair.

9/25/2006 10:16 AM

August 04, 2006 Continued


Friday
9:15 AM - 10:15 AM

Conngerssman Joe Pitts Office -- Lancaster County Courthouse

Requested meeting with receptionist, said about DOD and CIA, as for
Federal Agencies, and told her to mail me the meeting schedule.

10:00 AM - 11:00 AM

District Justice Commins Office -- Leola

Asked if I had a Meeting, gave me a schedule for August 15

10:00 AM - 11:00 AM

Lancaster County Commissioners Office -- Lancaster County Courthouse

Scheduled meeting with Dick Shellenberger with secretary, she said


should be free in about 20 minutes, I said I would stop back

11:00 AM - 12:00 PM

District Justice Simms -- Walnut and Queen Strteets

Asked if I had a Hearing, said today at 3:00 for Lancaster City


Police Littering citation

3:00 PM - 7:00 PM

District Justice Simms Office

Lancaster City Police Jeurich wanted to meet before Hearing about


parking tickets, told him I would not, will do it at Hearing. Simms
told me that he tried to do me a favor, and they wanted $60 cash from
me, I said I did not have it, I cited IFP status, and Simms said you
have to be in Bankruptcy, i said i was and he said do you have any
papers with you, was yelling at me, I stood up and said I would go
home and get him some papers, said I was out of order and told
jeurich and Officer for Hearing to arrest me on Disorderly conduct.
Girl officer wenger took me to City Police station, gave me shit all
the way there, said i was a cop Hater, said I only hated corrupt
cops, would no believe anything I said. .....let me out without any
paperwork

3:00 PM - 3:30 PM

Hearing District M Simms Lanc City Police Littering 299-7966 -- 301 North Queen Street, Lancaster, PA
17603

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: m T m
02-2-04
MDJ Name: Hon
RICEARD H. Simms
Address: 301 U QUEEN ST
LAUCASTER, PA
STAMLEY J. CATERBONE
220 STONE HILL PI,
COmSTOQA, PA 17516
NOTICE OF TRIAL
SUMMARY CASE
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT: NAME and ADDRESS
STANLEY J. CATERBONE
220 STONE HILL BD
CONESTOGA, PA 17516
L J
Docket No. NT-0000598-06
Date Filed: 4/25/06
Charae(s):
18 86501 SSAl SCATTERING RUBBISH
I
Stan Caterbone

30

9/25/2006 10:16 AM

August 04, 2006 Continued


Friday
I
This court has received your plea of NOT GUILTY to the above summary
violation(s). The sum of $ -00
has been accepted as collateral for your appearance at trial.
Your trial has been scheduled as follows:
Should you fail to appear for your trial, a warrant may be issued for
your arrest.
Date: June 19,2006
Time: 3:OO PM
Failure to appear for your trial shall constitute consent to trial in
your absence and if you are found guilty, the collateral
deposited shall

August 08, 2006


Tuesday
1:30 PM - 2:15 PM

Jucicial Conduct Review Board -- Pennsylvania Place, Harrisburg, PA

Filed agianst Georgelis for Sothern Regional Informa Pauperis,


Hearing, taking case from Madenspacher, Dening without reason,
vacating denying and then granting appropval.

August 09, 2006


Wednesday
9:00 AM - 10:00 AM

IFP Hearing -- Lancaster County Courthouse

Sherrif would not let me sit at table, showed me a memo that said all
Pro Se Litigants were not allowed to approach tables untile Judge
enters courtroom, then changed mind. A man sat at opposite table,
and i asked who he was and he said he was Shawn Long, rep Fulton
Bank, and I asked what he was doing there, he said he was the
Plaintiff, I asked what proceeding this was, Sherrifs gave me a
bunch of shit, I gathered my laptop and files and walked out before
Judge entered and started whatever it was. Before exiting, I told
Sherrif I filed yesteday at the Judicial Conduct Bard.

August 11, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
Stan Caterbone

31

9/25/2006 10:16 AM

August 11, 2006 Continued


Friday
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

1:00 PM - 2:00 PM

Mike Sturla -- Outside Soverign on Duke Street

wanted meeting, said he was going on vacation next week.

August 14, 2006


Monday
5:00 PM - 5:30 PM
8:00 PM - 9:00 PM

Southern Regional Police Suit Amended Complaint Due


Lancaster Convention Authority Public Meeting -- Chamber of Commerce Building, Lancaster

Saw Chalie Smithgall going in, would not say much of anything, very
hostile. Talked to Kurt LydellL.....Irex, asked if he rented from
Dad, was very evassive, wou33 not say no, could not remember; talked
to Ted Darcus about Leonard B., and Big Five game, would not make a
commitment on Convention Center, said he would call me, gave card.
Talked to Jack Buchwalter and Caroline Steinman, asked about Paula's
Health, said could not remember who she was or if she ever worked at
LNP, Caroline daughter kept interupting; told Jack we need to meet
re: Fed 05-2288 and said I was going to amend and might add to civil
action, he told me to call him.
Mike Sturla, he scheduled meeting with me for 12:30 next day.
him last week he said was going on vacation all week.

told

August 15, 2006


Tuesday
12:30 PM - 1:30 PM

Meeting with Mike Sturla -- Griest Building, Lancaster Square

Receptionist was not very nice, very smart, said she grew up with
some Caterbone, knew Tut Arcudi, asked to sign petition, said she
would not, said other ways to change, did not think any changes need
to be done, Kept calling Mike, meeting was scheduled on her computer
Stan Caterbone

32

9/25/2006 10:16 AM

August 15, 2006 Continued


Tuesday
for time.
Mike - talked about painting, his construction company, downtown,
Academy of Music project; money for project, said it was closer, but
would not give firm commitment if project is a go; gave him my appeal
for Southern Regional Police and asked for some help, said he would.

2:00 PM - 3:00 PM

Nevin Cooley -- Walking Downtown on South Queen, at Griest

SAid working on project, and said it was closer.

Was in a rush.

August 16, 2006


Wednesday
8:00 AM - 9:00 AM

Gib Armstrong Office -- 144 Christian Street

Requested meeting, gave a copy of SRPD appeal to Superior Court,


talked to Bob Thompson for about 1/2 about Convention Center and
Media, secretary gave me a hard time about owner of Brunswick, and I
walked out, she said he was.......

11:00 AM - 12:00 PM

Got Notice at 11:15 for 11:00 Emergency PP& L Hearing -- Reading, PA

Recieved Notice from Judge Fehling for emergency Hearing for today,
in my mailbox at 11:15 when Hearing was for same day, Aug 16 2006.
Either Conestoga Post Office held the Notice, or Clerks mailed the
Notice late!

11:30 AM - 12:30 PM

Message ForAtty Gen Gonzales to Secret Service -- Host Farm Resort

Gave card to Bush Secret Service and told the to tell Atty General
Gonzales to call regarding Fed False Claims Act, ISC Whitleblowing
outside Host .
Told East Lampeter Policman to send all evidence to DA.

1:30 PM - 2:30 PM

Requested Meeting with Arlen Sepctor Office -- Fed Courthouse Harrisburg

told staffer to ask Arlen for a meeting.

2:00 PM - 3:00 PM

Said he would call back

FBI to see Fox -- FBI Office Harrisburg

Asked to see Agent Fox, who I met with in May, said no Agent by that
name.
Talked to another Agent, middle age balding, white shirt &
tie, 5'7' - told we have a problem, gave him a copy of Fed 05-2288
Motion for Continuence filed on Monday.

August 17, 2006


Thursday
9:30 AM - 10:00 AM

Meeder Meeting with John Meeder Excelsior Place -- Medder Office

18 to 20 million for block, mixed use. Vague, interested in talking to Ralph.


9:30 PM - 10:30 PM

Meeting with Ralph Mazzochi -- Ryder Avenue

talked about Excelsior Place, liked to do Gallo, talked about Mazzi,


said I would schedule a meeting with Hamid and Brunswick.

Stan Caterbone

33

9/25/2006 10:16 AM

August 17, 2006 Continued


Thursday
11:00 PM - 12:00 AM

Cathy Caterbone and Ralph -- Velentinos Cafe, Ryder Avenue, Lancaster

Cathy said, "now don't get mad, you are going to get mad - asked if I
was taking medicine, asked her why and she started to back track and
said vitamins, said how much weight I lost - talked to John, did not
say anything on Cathy cell phone, was not nice, took Cathy to Turkey
Hill and home, went in for a minute, saw Angel's daughter and Cathys
in living room on couches, Played some of Sheryls music on Ipod, told
her about Sheryl, she kept wanting to hug me, I made an excuse to
leave asap, invited me to some family reunion on Saturday, said she
did not have a date.

August 18, 2006


Friday
3:15 PM - 4:15 PM

Hearing MDJ Commins - 2 Girls walking -- Giest Road, Lancaster, PA

Fedor on Prosecution table; did not swear in first gilr, blonde, did
not live in Conestoga, kept lying, said went past her 5 times, and
was afraid from being out in the country, said I harrassed her, was
lying about where she was walking, frustrating to cross with all
lies; 2nd witness lied about the time, place and calling police, I
closed files, Judge kept lying about procedure, when Fedor got to
stand, asked to leave and go to bathroom, could not tolerate hearing
his lies, I would not testify, wastse of time. thought it was a
preliminary hearing, Judge would not give me time to prepare for
case, said it was a summary hearing, I only picked up file right
before Hearing started. Ruled Guilty.
Fedor stood guard at door, I asked her what he was
out to other side of door. Judge said she just got
wanted to hold a pre arraignment hearing, I said I
for the DUI from SRPD, I said I recieved no notice
for that day, I

doing, he stepped
paperwork, and
never heard of it,
of another hearing

August 21, 2006


Monday
10:00 AM - 11:00 AM

Visit Russell Pugh, Matt Samley, -- 120 N. Shippen Street,Lancaster

Heather Smith receptionist; ordered file from Matt Samley from 1998
legal opinion, and Tommy's bankruptcy and Estate file.
Russel Pugh, criminal defense solicitation; met for 1 hour free
consultation; said irregularity with DUI and under limit, said should
have been given sobriety test; unlawful arrest, questioned civil
action, wanted file, said defended Tabatha Buck, said Lambert did it,
told him about prosecutorial and affadavit, kept asking me what I had
to do with Lambert Hearing, kept telling him I signed and filed an
affadavit. said wanted to represent me, said he wanted money,
offered stock, said I would not pay a fee.
told him about whistle
blowers filing.

2:00 PM - 3:00 PM

Visit Hamid at Brunswick -- Brunswick Hotel, Lancaster,PA

Said he was on vacation for 10 days, did not get Ralph's stuff;said
he was only leasing space; N. Queen and Chestnut Streets 12.50/sq ft
(10,000), plus all utilities; kept telling me that Lancaster City was
revitalizing Lancaster Square; would not tell me who proposed the
project, said it was coming later, kept telling me "do you know Binns
Park", kept repeating; was very hostile this meeting, said space
above was for lease, 30,000 sq ft ; 2 movie theaters, said was
Stan Caterbone

34

9/25/2006 10:16 AM

August 21, 2006 Continued


Monday
interested but will not go back to him.

August 23, 2006


Wednesday
4:30 PM - 5:30 PM

Called PA Civil Rights Dept

Returned phone call to Mr. ...., he wanted me to summarize my


complaint, I said about Whistleblowers complaint, he kept trying to
get me to summarize, I told him I wasn't in private, he kept
pressuring me, I said I'll call next week, he got mad, and I said I
would talk to Rendell that evening, I told him to put something in
writing, he said complaint was too long and involved. I said Tuesday
at 3:00 pm I would call him back if I could get to a phone

6:00 PM - 7:00 PM

visit with Gov Ed Rendell at Campaign event -- Binns Park, Lancaster, PA

Interuppted him with a reporter and tape recorder as he left the


stage, he shook my hand,he said something about he did not have a
Civil Rights department, I said in the Attorney General Office, he
said something about an elected official. I left and went to sit
down, then got out a card and went back and gave it to him down
closer to Queen Street.

7:00 PM - 8:00 PM

Put Petion on Lois Herr's Table -- Binns Park

Put petition on table with other Democrats to get signatures, about


10 other petitions were there to sign, people were signing multipe
petitions. Ms. Oter... kept moving mine to back, I asked Mr Chapman
where I could get my petition the next day, everybody at table lied
about where the Democratic Office was. I stayed around table and Ms.
Connie...and another woman came up to me with my petition and I said
I was a registered Democrat, and I said here is my voter
registration, they got mad when I showed it to them, and kept trying
to harrass me, and told me they did not want to leave my petition for
signitures, I said fine and took it back with 2 signatures on it.
They kept harrassing me and I told them at least twice to stay away
from me and warned them they were harrassing me, then left and told
the 2 lancaster City Police Officers, and they belittled me and I
left.

August 24, 2006


Thursday
3:00 AM - 4:00 AM
3:30 AM - 4:30 AM

Getty Robbed complained to Lancasster City Police re 1250


Girl at 1250 Fremont stalking and harrassing

looked like she pretended to walk out of Billy P house,moved car so I


could park, got out of car and looked wiered; I drove to back to park
in alley, she followed me and pulled up behind me and got out of car
and kept approaching me and talking, I told her she doesn't belong
here, and she said she was looking for "Lefty her cousin" she kept
trying to get close to my door, I told her to leave and folloed her
down to Hershey avenue.

Stan Caterbone

35

9/25/2006 10:16 AM

August 24, 2006 Continued


Thursday
10:00 AM - 11:00 AM

Filed Notice of Defaults Harleysville and Mike -- Lancaster County Courthouse

August 25, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

6:00 AM - 7:00 AM

Payment for Website Due -- Webmasters online

2w

4:45 PM - 5:45 PM

Phone Call to PP&L Attorney M. Henry -- Ric Miller, Whetland Park Road, Lancaster, PA

Talked to Mr. Henry about scheduling conference via telephone as


instructed, said that Judge Fehling said I could reschedule hearing
at anytime, I said that is not what the Order said, he said the
transcript said that I could.
He told me to call PP&L about a repayment plan to get my electricity
Stan Caterbone

36

9/25/2006 10:16 AM

August 25, 2006 Continued


Friday
turned on, I asked him what he meant, he kept telling me I would have
to call PP&L, I said what do you do for yhour money, he said he was
a lawyer - I hung up phone. 3 Federal Judges, and at least 3 Orders,
and countless hours of legal time to tell me to call PP&L.

6:00 PM - 9:00 PM

Crosby,Stills,Nash,and Niel Young -- Hershey Stadium

Crosby, Stills, Nash & Young


Type of Event:
Concert
Show
Entertainment
Venue:
Hershey

HERSHEYPARK Stadium

Event Date(s):
8/25/06
Event Time(s):
8:00 PM
On-Sale Date:
5/8/06
On-Sale Time:
10:00 AM
Admission:
$176.00, $126.00, $76.00, $56.00 and $38.50
Processing fee applies
**8 Ticket Limit**
Parking fee applicable
Event Details:
The group will tour with no opening act, and the
show will spotlight an extended set from CSNY as in their previous
outings. The show will include their classic work together as well as
favorites from their storied individual careers.
CSNYs almost four-decade long musical connection is one of the most
influential and enduring collaborations in contemporary music. When
they first came together as a quartet in 1969, each member brought a
pedigree from another formidable bandCrosby from The Byrds, Nash
from The Hollies, and Stills and Young from Buffalo Springfieldand
their synergy together brought them to new hei

August 28, 2006


Monday
4:30 AM - 5:30 AM

Made Complaint 2 Lancaster City Police Cruisers -- alley behind ryder avenue

Told them for the 4th time about 1250 fremont street, told them that
a desk sergeant told me they were going to send someone over to talk
to me when I was in the station Sunday morning to complain about
people around house and stealing from 1250 Fremont Street
Heavy dose of chlorophorme in car, heavidest in a while, had to
vacate car in Turkey Hill parking lot at Columbia avenue and ryder
avenue.

August 29, 2006


Tuesday
8:15 AM - 9:15 AM

Weis Markets tried to rip me off again -- Manor Shopping center

overcharge for sausage, would not recognize red discount sticker that
said .94, was cut in half. ...Dunkel gave me it for free, went to
Customer Service counter for refund, and put sausage at end of
counter, I noticed that I did not have the sausage as I was about to
walk out, went back and got sausage,
Stan Caterbone

37

9/25/2006 10:16 AM

August 29, 2006 Continued


Tuesday
I have Weiss empolyees trying to overcharge me everytime at every
Weis Markets.

11:15 AM - 12:15 PM

Election Board Office -- N. Queen Street, Lancaster PA 17603

Met at reception area by McClane, wanted me to be 200th


signature,from Millersville, talked about representative gov v.
democracy; signed his and he signed mine, did not want to take card.
Went to deliver petition, asked for additional forms, I said someone
stole the file, gave me anoterh set; woman said you need 200
signatures, I said I had people trying to interfere with me getting
signatures, 2 women said we better... and went to get another woman.
Woman said you need 200 I said can't I file a complaint? she said
well you could put something in writing, looked suspicious, I left
petition on counter and said I have to make a phone call and left.

3:00 PM - 4:00 PM

Call Civil Rights Dept Investigator in Harrisburg -- PA Attorney general's Office

August 30, 2006


Wednesday
6:00 PM - 7:00 PM

Drivers License Siezed by Millersville Boro Sieze License

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Stanley J. Caterbone
Advanced Media Group
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania
:
V.

Civil Action No. ________

:
:

Millersville Borough Police Department


Michael K. Schaefer
10 Colonial Avenue
Millersville, PA 17551
:
STATE OF PENNSYLVANIA

:
:

COUNTY OF LANCASTER

Stan Caterbone

: ss

38

9/25/2006 10:16 AM

August 30, 2006 Continued


Wednesday
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION
COMPLAINT
1.
On or about August 30th 2006, at approximately 6:00 pm; the Defendant pulled the
Plaintiff over on Wabank Road, Lancaster, Pa; which was out of the jurisdiction of the
Millersville Borough Police Department. The Plaintiffs 2005 Honda Odyssey was
approximately 165 yards from the 35 mph speed limit sign on the west side of Wabank Road
at the north end of the Brenners Quarry lot.
2.
The Defendant was directly behind the Plaintiff at the intersection of Cottage Avenue
and Millersville Road; stopped at the red light.
3.

The Defendant illegally detained the Plaintiff and his vehicle.

4.
The Defendant illegally Seized the Pennsylvania Drivers License 18195782 and
Vehicle Registration Card; and did so knowing that the Plaintiff provided proof of Appeal
currently in Commonwealth Court.
5.
The Defendant failed to acknowledge any explanation or statement that would have
prevented the seizure.
6.
The Plaintiff filed an appeal to Superior Court and received a Notice from Penn DOT
providing instructions for the Appeal process, which automatically vacates the previous
suspension the Plaintiffs Drivers License.
7.
The Defendant illegally seized the Plaintiffs vehicle and turned it over to the
jurisdiction and possession of the St. Denis Towing Company, of Mount Joy, Pa.
8.
The Defendant totally took all access to the Federal, State, and Local courts and took
away the Plaintiffs right to due and fair process by illegally taking away his only means of
transportation.
9.
The Defendant took the Plaintiffs access to his mail at his residence at 220 Stone Hill
Road, Conestoga, PA 17516.
10.
The Defendant interfered with the Plaintiffs Business Operations and Contracts and
literally brought the activities to a standstill.
11.
On or about April 21, 2006, the Plaintiff filed a stolen item report ($743.00 Cash) to
the Defendant stating the following: I am hereby formally and officially requesting a copy of the
above incident report concerning stolen case for my current litigation with Lancaster General
Hospital (Docket No. CI-06-03401) and Southern Regional Police Department (Docket No.
CI-06-03401) both in the Commonwealth Court of Common Pleas.
12.
The Defendants actions can be seen as retaliatory in nature and an affirmation of the
Defendants support for the Corrupt activities and Harassment of Officer Busser of the
Southern Regional Police Department.

Stan Caterbone

39

9/25/2006 10:16 AM

August 30, 2006 Continued


Wednesday
Dated: September 1, 2006
__/s/ Stanley J. Caterbone________
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

CERTIFICATE OF SERVICE

Stanley J. Caterbone, Pro Se


Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/
Service To:
Millersville Borough Police Department
Michael K. Schaefer
10 Colonial Avenue
Millersville, PA 17551

Certificates of Service were sent by United States 1st Class Mail on September 1, 2006.
By, __/s/ Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/
Stan Caterbone

40

9/25/2006 10:16 AM

August 30, 2006 Continued


Wednesday
IN FORMA PAUPERIS

1. I am the plaintiff in the above matter and because of my financial condition am unable to
pay the fees and costs of prosecuting or defending the action or proceeding.
2. I am unable to obtain funds from anyone, including my family and associates, to pay the
costs Litigation.
3. 1 represent that the information below relating to my ability to pay the fees and costs is true
and correct:
(a) Name:
Stanley J. Caterbone
Address:
220 Stone Hill Road, Conestoga, PA 17516
Social Security Number: 200-46-0959
(b) Employment

If you are presently employed, state

Employer:

Advanced Media Group

Address:

220 Stone Hill Road, Conestoga, PA 17516

Salary or wages per month: $0.00 Currently in Litigation See Notes


Type of work:
If you are presently unemployed. state
Date of last employment:
(c) Other income within the past twelve months Relationship:
Business or profession: Advanced Media Group has no income at this time
See Bankruptcy Petition 05-23059, U.S. District Court For The Eastern District of
Pennsylvania Civil Actions 05-2288 and 06-1538
Other self-employment:
Interest:
Dividends:
Pensions and Annuities:
Social Security benefits:
Support payments:
Disability payments:
Unemployment compensation and supplemental
benefits:
Workman's compensation:
Public assistance:
Food Stamps approx $155.00
Other:
(d)
Other Contributions to household support
(Wife)(Husband) Name: ______________________
If your (wife)(husband) is employed, state
Employer:
Salary or wages per month:
Type of work:
Contributions from children:
Contributions from parents:
Othcr contributions:
(e)- Property owned:
Cash:
Checking Account:
Stan Caterbone

$.00
$-445.00
41

9/25/2006 10:16 AM

August 30, 2006 Continued


Wednesday
Savings Account:
Certificate of Deposit
Real estate (including home):
Motor vehicle
Make :
Cost :

$155,000.000
Dodge Pick Up , Year 1991
-,
$2700.00
Amount Owed $ 0.00

Stocks; bonds: 9996,000 shares Advanced Media Group Non Marketable Securities These
shares are subject to litigation in the United States District Court for the Eastern District of
Pennsylvania Civil Action 05-2288, there is no tangible value to the Plaintiff until this case is
completely adjucated
Other:
(f) Debts and obligations
Mortgage:
$89,000
Rent:
Loans: Credit Cards - $40,000 Yolanda Caterbone - $30,000
Other:
$5,000.00 current accounts payable
(g) Persons dependent upon you for support
(Wife)(Husband) Name:
Children, if any:
Name:
Age:
Date of last employment:
Salary or wages per month: Other persons:
Type of work: Name:
4. I understand that I have a continuing obligation to inform the court of improvement in my
financial circumstances which would permit me to pay the costs incurred herein.
5. I verify that the statements made in this affidavit are true and correct. I understand that false
statements herein are made subject to the penalties of 18 Pa:C.S. , relating to unsworn
falsification to authorities.
Date: ________________________

_/s/ Stanley J. Caterbone


Petitioner

(i) The Praecipe required by subdivision (d) shall be substantially in the following form:

PRAECIPE TO PROCEED IN FORMA PAUPERIS

To the Prothonotary:
Kindly allow , Stanley J. Caterbone (Plaintiff), to proceed in forma pauperis.
(i) I, Stanley J. Caterbone, attorney for the party proceeding in forma pauperis, certify that I
believe the party is unable to pay the costs and that I am providing free legal service to the
party.
(j) If, simultaneous with the commencement of an action or proceeding or the taking of an
appeal, a party has filed a petition for leave to proceed in forma pauperis, the court prior to
acting upon the petition may dismiss the action, proceeding or appeal if the allegations of
Stan Caterbone

42

9/25/2006 10:16 AM

August 30, 2006 Continued


Wednesday
poverty is untrue or if it is satisfied that the action proceeding or appeal is frivolous.

Dated: September 1, 2006


By, __/s/ Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
http://www.amgglobalentertainmentgroup.com/
mailto:amgroup01@msn.com

August 31, 2006


Thursday
9:00 AM - 10:00 AM

Chapter 11 Transcript Hearing -- Reading, PA

9:00 AM - 10:00 AM

Chapter 11 Transcript Hearing -- Reading, PA

September 01, 2006


Friday
9:00 AM - 10:00 AM

Chapter 11 Brief Due for U.S. Trustee Conversion Motion

12:00 PM - 1:00 PM

Sheryl red

September 02, 2006


Saturday
5:00 PM - 5:30 PM

Pat Dixon, Ana Gianapolis and 2 others -- Cafe next to Manor Cinemas

Gave 4 to project hope, talked about Pat's dilema, asked if I was going to support her and
SDL???

September 06, 2006


Wednesday
All Day

Stan Caterbone

Fdfvdcsdf xdxdFBVSC

43

9/25/2006 10:16 AM

September 07, 2006


Thursday
9:00 AM - 10:00 AM

Hearing - MDJ Commins SRPD DUI

September 08, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

September 09, 2006


Saturday
3:00 PM - 3:30 PM

Ben Roda Visit -- 93 Pilgrim Drive, Millersville, PA 17551

Advanced Media Group


Stanley J. Caterbone.

PRAECIPE

vs.
Stan Caterbone

44

9/25/2006 10:16 AM

September 09, 2006 Continued


Saturday

Mr. Benjamin Roda, In the Court of Common Pleas of Lancaster County


September 11, 2006

No
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Advanced Media Group


Stanley J. Caterbone
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania
:
:
V.

CIVIL ACTION NO.

:
Mr. Benjamin Roda
63 Pilgrim Drive
Millersville, PA 17551
717-842-6341
:
:
STATE OF PENNSYLVANIA

:
:

COUNTY OF LANCASTER

: ss

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Stan Caterbone

45

9/25/2006 10:16 AM

September 09, 2006 Continued


Saturday
COMPLAINT
1.
On September 9, 2006 at approximately 3:07pm Plaintiff did enter the residence of the
Defendant for a cordial and friendly visit. The Defendants brother, Mr. Dominick Roda,
suggested it on September 7th, that the Plaintiff stop by for a visit.
2.
During that visit the Defendant did engage in slandering, defaming, and libeling the
Plaintiff on several occasions.
3.
The Defendant accused the Plaintiff of extorting approximately $4,700.00 from
Yolanda Caterbone by stating that the Judgment that the Plaintiff was awarded for
construction services (1250 Fremont Street, Lancaster, Pennsylvania) was done through
fraudulent means. The Defendant declared that the Plaintiff performed such services without
the permission or consent of the owner of, Yolanda Caterbone. That is completely and utterly
false.
4.
A District Court awarded judgment in a Civil Action (CV-0000207-05) where that
argument was never even raised by Yolanda Caterbone or any of her representatives. It took
the Plaintiff approximately 16 months and the threat of executing on a lien on the property
(1250 Fremont Street, Lancaster, Pennsylvania) to collect the judgment award.
5.
The Defendant also declared that it was now the Plaintiffs responsibility to provide
elderly care for the Plaintiffs Mother, Yolanda Caterbone (the Defendants sister), contributing
to nothing less than psychological harassment and mental duress. Yolanda Caterbone has
been residing in Florida since November of 2004.
6.
The Defendant also declared and emphatically stated that everyone lies to you
because you are sick, thus suggesting and declaring that the Plaintiff is suffering from mental
illness. The Plaintiff interpreted everyone to mean all of the law enforcement officers that
fabricated the criminal charges now pending before the Commonwealth of Pennsylvania.
7.
The Defendant alleged that the seizure of the Plaintiffs drivers license was both lawful
and deserving and disputed the Plaintiffs declaration of prosecutorial misconduct associated
with the citations used to suspend the Plaintiffs drivers license
(.TR-0001010-06;TR-0001011-06 filed by Southern Regional Police Chief Fiorill and the
Appeal by Trial de Novo filed on July 13 in the Court of Common Pleas).
8.
The Defendant has had no personal contact with the Plaintiff since the spring of 2005,
and such a declaring statement was only meant to discredit the Plaintiff and the Plaintiffs civil
actions against Fulton Bank. (United States District Court for the Eastern District of
Pennsylvania CA-1535;05-2288;06-3399;05-3689, United States Bankruptcy Court 05-23059,
Commonwealth Court of Common Pleas 06-02271).
9.
The Defendants son, Mr. Craig Roda, is the President of Fulton Bank, and the
Defendants son-in-law, Mr. Phillip Wenger, is the President of Fulton Financial Corporation, of
Lancaster, Pennsylvania.
10.
In the spring of 2005, again at the residence of the Defendant, the Defendant also
engaged in a hostile conversation with accusations that the issues raised in the Plaintiffs civil
actions against Fulton Bank were directly related to the actions of Mr. Craig Roda. The
Defendant also denied his son, Mr. Craig Roda, never made the hostile and harassing
telephone call in February of 2005, immediately following a meeting with the then President of
Fulton Bank, Mr. Phillip Wenger. The meeting was arranged by Mr. Smith, then Chairman and
CEO of Fulton Financial Corporation for the purpose of resolving the Plaintiffs allegation later
raised as causes of actions in the civil actions that were later filed.
11.
At that time of the preceding, the Plaintiff had not filed any civil actions in any courts
against Fulton Bank. The first civil action against Fulton Bank was not filed until May 16, 2005
Stan Caterbone

46

9/25/2006 10:16 AM

September 09, 2006 Continued


Saturday
in the United States District Court for the Eastern District of Pennsylvania.

12.
The Plaintiff seeks to have the courts place a cease and desist order against the
Defendant and the Defendants family from engaging in such damaging accusations.

Dated: September 11, 2006


__/s/ Stanley J. Caterbone________
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

CERTIFICATE OF SERVICE

Stanley J. Caterbone, Pro Se


Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/
Service To:
Mr. Benjamin Roda
63 Pilgrim Drive
Millersville, PA 17551
717-842-6341

Certificates of Service were sent by United States 1st Class Mail on September 11, 2006.
By, __/s/ Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Stan Caterbone

47

9/25/2006 10:16 AM

September 09, 2006 Continued


Saturday
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/
IN FORMA PAUPERIS
Petition and Affidavit of Financial Status
(Pennsylvania Rules of Procedure Rule 240)

1. I am the plaintiff in the above matter and because of my financial condition am unable to
pay the fees and costs of prosecuting or defending the action or proceeding.
2. I am unable to obtain funds from anyone, including my family and associates, to pay the
costs Litigation.
3. 1 represent that the information below relating to my ability to pay the fees and costs is true
and correct:
(a) Name:
Stanley J. Caterbone
Address:
220 Stone Hill Road
Social Security Number:
200-46-0959
(b) Employment
Employer:
Address:

If you are presently employed, state:


Advanced Media Group, Owner
220 Stone Hill Road, Conestoga, PA 17516

Salary or wages per month: $0.00 Currently in Litigation See Notes


Type of work:
If you are presently unemployed. state
Date of last employment:
(c) Other income within the past twelve months Relationship:
Business or profession: Advanced Media Group has no income at this time
See Bankruptcy Petition 05-23059, U.S. District Court For The Eastern District of
Pennsylvania Civil Actions 05-2288 and 06-1538
Other self-employment:
Interest:
Dividends:
Pensions and Annuities:
Social Security benefits:
Support payments:
Disability payments:
Unemployment compensation and supplemental
benefits:
Workman's compensation:
Public assistance: Food Stamps approximately $154.00 per month
Other:
(d)
Other Contributions to household support
(Wife)(Husband) Name: ______________________
If your (wife)(husband) is employed, state
Employer:
Salary or wages per month:
Stan Caterbone

48

9/25/2006 10:16 AM

September 09, 2006 Continued


Saturday
Type of work:
Contributions from children:
Contributions from parents:
Other contributions:
(e)- Property owned:
Cash:
$0.01
Checking Account: $-301.00 $-74.00
Savings Account: $0.00
Certificate of Deposit
$0.00
Real estate (including home):
Motor vehicle

$165,000.000
Make: Dodge Pick Up , Year: 1991
Cost:
$2,700.00
Amount Owed $ 0.00

Stocks; bonds: 9996,000 shares Advanced Media Group non marketable securities these
shares are subject to litigation in the united states district court for the eastern district of
Pennsylvania civil action 05-2288, there is no tangible value to the plaintiff until this case is
completely adjucated.
Other:
(f) Debts and obligations
Mortgage:
Rent:
Loans: Credit Cards Other:

$97,000
$40,000 Yolanda Caterbone - $25,000
$3,000.00 current accounts payable

(g) Persons dependent upon you for support


(Wife)(Husband) Name:
Children, if any:
Name:
Age:
Date of last employment:
Salary or wages per month: Other persons:
Type of work: Name:
4. I understand that I have a continuing obligation to inform the court of improvement in my
financial circumstances, which would permit me to pay the costs incurred herein.
5. I verify that the statements made in this affidavit are true and correct. I understand that false
statements herein are made subject to the penalties of 18 Pa:C.S. , relating to unsworn
falsification to authorities.
Date: September 11, 2005

_________/sjc/__________________
Petitioner
(i) The Praecipe required by subdivision (d) shall be substantially in the following form:
PRAECIPE TO PROCEED IN FORMA PAUPERIS

To the Prothonotary:
Kindly allow , Stanley J. Caterbone,

(Plaintiff), to proceed in forma pauperis.

I, Stanley J. Caterbone, Pro Se Litigant, attorney for the party proceeding in forma pauperis,
certify that I believe the party is unable to pay the costs and that I am providing free legal
service to the party.
Stan Caterbone

49

9/25/2006 10:16 AM

September 09, 2006 Continued


Saturday
(j) If, simultaneous with the commencement of an action or proceeding or the taking of an
appeal, a party has filed a petition for leave to proceed in forma pauperis, the court prior to
acting upon the petition may dismiss the action, proceeding or appeal if the allegations of
poverty is untrue or if it is satisfied that the action proceeding or appeal is frivolous.

________/sjc/_____________________
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184
717-427-1621 Facsimile
amgroup01@msn.com
www.amgglobalentertainmentgroup.com

IN THE COURT OF COMMON PLEAS


OF LANCASTER COUNTY, PENNSYLVANIA

On this day of ______________________, 2006 upon consideration of the attached Petition


and Affidavit of Financial Status, it is hereby Ordered that the Petitioner, Stanley J. Caterbone,
IS permitted to proceed with the filing of his/her action or appeal In Forma Pauperis, and shall
not be required to pay the costs or fees payable in connection with such matter, but
conditioned upon his/her payment of such costs from the proceeds of an financial recovery in
this case.
BY THE COURT:

September 15, 2006


Friday
9:00 AM - 10:00 AM

Stan Caterbone

Chapter 11 - Extension for Brief Due

50

9/25/2006 10:16 AM

September 21, 2006


Thursday
9:00 AM - 10:00 AM

MDJ Simms Disorderly Conduct -- 913 Elm Avenue

Simms could not take it that I knew the law and called him out on it
about the In Forma pauperis and he was wrong, so he pulled one of his
arrogant tricks and sent me to the Lancaster County Prison on August
11 for 4 hours.

1:00 PM - 2:00 PM

Project Hope Video Meeting with Penn Ketchum of MHMR -- MHMR Office 120 S. Queen Streets,
Lancaster

Already sent video

September 22, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

Stan Caterbone

51

9/25/2006 10:16 AM

September 28, 2006


Thursday
9:00 AM - 9:30 AM

MDJ Smith Payment Due HIA Parking Ticket $67.50

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


MAG. DIST. JUDGE: MI- J SMITH
1281 S 28TE ST
HARISBURG, PA 17111
MAGISTERIAL DISTRICT NO.: 12 -2 - 01
1717) WR-1160
COSTS $
OTHER $
TOTAL $
6/a8/06
(Date) (Defendant)
PA 17516
(~es~denc~ed dress) (Business adam)
(rel~nm~eu maer) (relephooe Num&r)
A hearing was held pursuant to Pa. R. Crim. P.456 on- 6/28/06 , to
determine the ability of , defendant, to pay the sentence of fines,
costs, and restitution imposed on 6/28/06 in the following: 1.
Finding of CRIMINAL CONTEMPT pursuant to 42 Pa.C.S. 4137.
privileges for Violation of Title 75 Moving Violations. 3. Referral
to a private collection I am financially able to pay the fines,
costs, or restitution imposed. .
/ 2 f;. ?,:;,>) , , , , , p ; .,s
PAYMENT SCHEDULE: < .. '
(Signature)
Date Amount Date Amount
09/28/06 $67.50
TOTAL: $67.50
AOPC 416A-05 DATE PRIMTED: 6/28/06 2:55:17 PH

September 30, 2006


Saturday
12:00 PM - 12:30 PM

Farm Aid To Bring Music, Put Spotlight On Good Food Movement Of Delaware River Valley

07/06/2006: Farm Aid 2006 Announced - Camden NJ / Philadelphia PA!


Farm Aid To Bring Music, Put Spotlight On Good Food Movement Of
Delaware River Valley - Willie Nelson, Neil Young, John Mellencamp
and Dave Matthews to Headline Sept. 30 Concert
PHILADELPHIAFarm Aid co-founder Neil Young today announced that
the nation's leading family farm advocacy organization will bring its
annual benefit concert to The Tweeter Center on the Waterfront in
Camden, New Jersey.
Farm Aid 2006 will urge Americans to choose food from family farms,
creating growing opportunities for more family farmers. Artists at
the 2006 concert will show support for activities that keep family
farmers on the land. Farm Aid's fundraising concert is scheduled to
take place on Saturday, Sept. 30 and will feature headliners Willie
Nelson, Neil Young, John Mellencamp and Dave Matthews, plus other top
artists to be announced later.
Tickets for Farm Aid 2006 are on sale July 22 at 10 a.m. EDT and are
availabl

Stan Caterbone

52

9/25/2006 10:16 AM

July 10, 2005


Sunday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

July 15, 2005


Friday
All Day

Stan Caterbone's Birthday

July 18, 2005


Monday
7:00 PM - 8:00 PM

John Couger/John Fogerty -- Hershey Stadium

July 19, 2005


Tuesday
12:00 PM - 1:00 PM

Discover Credit Card

called to renew and told them of filings.

2:00 PM - 3:00 PM

Did not believe me.

Department of Justice -- Philadelphia

Called to ask about payment of fee and management reports. Talked to


Dave Adams. Again, would not answer question and was a smart-ass on
the phone. Called him an asshole.

July 20, 2005


Wednesday
1:00 PM - 2:00 PM

Fax to Department of Justice -- Philadelphia

Sent page from 1998 Affidavit calling on courts not to use technical
deficiencies in filings as being a impungement on the constitution
with specific regards to RICO statutes and obstruction of justice.

1:00 PM - 2:00 PM

MBNA AAA Credit Card

they called for payment, told them of notice and filings, with
jurisdiction problems.

6:30 PM - 7:30 PM

3 Doors Down/Stand -- Hershey Giant Center

9:00 PM - 10:00 PM

CALL TO FBI PITTS OFFICE 2:00AM NS ISSUES

July 21, 2005


Thursday
8:00 AM - 9:00 AM

LONDON BOMB BLASTS 4 LOCALS

9:00 AM - 10:00 AM

Honda Payment Due

5:00 PM - 6:00 PM

Haccker - Destop Conestoga Police -- 220

Officer Cramer at house to report hack to desktop - no budget to


follow up. Gave him warning to watch out and brush up on terroism.
Told him about FBI call on Thurs am.
Stan Caterbone

9/25/2006 10:13 AM

July 21, 2005 Continued


Thursday
8:00 PM - 9:00 PM

Cingular -- Cingular - Park City

would not connect data line.

9:00 PM - 10:00 PM

depart for scac to Austin Dell

July 22, 2005


Friday
2:00 AM - 3:00 AM

Dept of Justice -- Philadelphia office

"We got a big problem"

2:00 AM - 3:00 AM

FBI National Security -- FBI Pittsburg

called FBI "national security - Iraq"

2:00 AM - 3:00 AM

G. Dempsey -- Las Vegas

To sheryl, france. cm

8:30 AM - 9:30 AM

London - 4 Bombings -- Warren-Shepards Bush....

4 Coordinated bombs

July 23, 2005


Saturday
3:00 AM - 4:00 AM

kennett -- scac- pool

July 25, 2005


Monday
10:00 AM - 11:00 AM

filed brief -- kennett, MO

via usps kennett, mo, filed brief for chapeter 11 to phil and reading

July 26, 2005


Tuesday
6:00 PM - 7:00 PM

arrive in Austin

July 27, 2005


Wednesday
1:00 PM - 2:00 PM

Army Intelligence Interview -- Austin National Reserve Base

Interviewed by Army Intell. Wanted to see docs, and interest about


sc. Looked at DP docs. Wanted to know who I was. Wanted to know
who I took orders from and how I communicated with Intel. Said
everything is fine.

8:00 PM - 9:00 PM

Stan Caterbone

Bowling for dollars -- Chamelion

9/25/2006 10:13 AM

July 28, 2005


Thursday
1:45 PM - 2:45 PM

Dell, Inc. -- Dell City, Autsint, TX Buildings 5 and 1

After 1 hour in lobby, V. Fequirio, or whoever, called lobby and


verified and confirmed activitey as planned. Talked to Wackenhut
about proposal back in 1990.

July 29, 2005


Friday
12:00 PM - 1:00 PM

Clipper Stadium - Joe Pinto -- Texas

Returned call to Joe Pinto about concert venues for Clipper. Will
send sample contract and said would like more concerts. Said no
other promotors are interested with any more concerts at this time.
Randy Patterson said that the County Redevelpment Auth gives all
management to Joe Pinto for concerts.

July 30, 2005


Saturday
9:00 AM - 10:00 AM

Chapter 11 Brief due to Judge Anita Brody - Phil Fed Court

July 31, 2005


Sunday
11:00 AM - 12:00 PM

Files broken into at MGM Grand Las Vegas -- Las Vegas

Report filed by MGM Risk Management Security Division. Marine Corp


officer very hostile and upset. See Report number 1N20050005628

8:00 PM - 9:00 PM

Arrive Santa Monica -- Santa Monica

August 01, 2005


Monday
12:00 PM - 1:00 PM
4:00 PM - 5:00 PM

glasses arrive at wallmart in kennett mo


Sammy -- Public Administrator-Conservator-Santa Barbara

Meeting with Dwight Faulding, Deputy, Public Adm-Conservator.:


Acknowledged that there was a problem. 2 people murdered right after
Sammy's death. "House" was torn down, no longer exists because of
problems. Said " I understand how you feel, no one in this office
was here then, I do not know where to get information or files", it
does sound like it was not a suicide".

6:00 PM - 7:00 PM

Antenna Stolen for Laptop wireless pcma card -- State Street, Santa Barbara

Not able to connect to internet, guy walked by while eating and kept
pointing to antenna. Was taken or hidden while eating.

August 02, 2005


Tuesday
8:00 AM - 9:00 AM

Stan Caterbone

Sheryl's "Good Is Good" Video Released

9/25/2006 10:13 AM

August 02, 2005 Continued


Tuesday
11:00 AM - 12:00 PM

Amber -- Santa Barbara

Took Amber to Dentist, to Emergency Room, then to Shelter.

9:00 PM - 10:00 PM

Pismo Beach

August 03, 2005


Wednesday
10:00 AM - 11:00 AM

Steve Auslender Real Estate Meeting -- 733 Santa Isabelle Drive, Los Oslos, CA

2683 Rodman Drive

12:00 PM - 1:00 PM

Molly Henderson -- Lancaster County Commissioners

Talked to Molly.
1. Said I already picked up Huner Proposal. Said she would mail it.
2. Has alternatives for Watt & Shand and Convention Center, said she
did not like the private finanacing of project and that Convention
Center would fail.

9:00 PM - 10:00 PM

los Oslos Sherrifs Confrontation -- Los Osos, Ca

2 Los Osos Sheriffs pulle me over for no reason and did the usual
harrasment and breathilyzer routine, of course the results were 0.0
blood alchohol. Frisked me for weapons, got mad that I talked about
the Intell Community and what I did. More less told me to move along
and leave the town.
FAT CHANCE!

August 06, 2005


Saturday
9:00 PM - 10:00 PM

ASSUALTED IN HARRY'S BAR - PISMO BEACH -- Pismo Beach Case Police Case No. 051653

Officer Jeremy Douglas and Mike Hunter. White Male, 5'8", white
shirt & blue jeans. Playing pool, and just started shoving me trying
to provoke me to fight. Did nothing, grabed me by the throat and
shoved my head against the mirror. Asked the bounder behind the bar
to do something, and he did nothing. Asked the bouncer at the door
if he was going to do something, he said "just go home". Went to
car, and pulled up outside bar and talked to another bouncer, asked
him why if he was going to do something, he said no. Drove directly
to police station and called 911 enroute.
See JT Krumholz from Bully's in SLB at Bully's bar.

Connection?????

August 07, 2005


Sunday
7:00 PM - 8:00 PM

Destiny's Child -- Star Pavillion

August 08, 2005


Monday
3:00 PM - 4:00 PM

Stan Caterbone

Wells Chiropractic -- Message Therapy

9/25/2006 10:13 AM

August 08, 2005 Continued


Monday
7:30 PM - 8:30 PM

Kelly Clarkson -- Giant Center

August 09, 2005


Tuesday
10:30 AM - 11:30 AM

Wells Chiropractor -- Message Therapy

6:00 PM - 7:00 PM

Sycamore Springs Hot Tub -- Avia Beach

August 10, 2005


Wednesday
6:00 AM - 7:00 AM

Weldon on Fox -- Avila Beach

Finally learned of Weldon's intell report.

9:00 AM - 10:00 AM

Honda Grace Period Payment Due

7:00 PM - 8:00 PM

barbershop girls -- Clipper Stadium

Inbelievablel.

August 12, 2005


Friday
11:00 AM - 12:00 PM

Arlene Davidson Conversation -- Beverly Hills, CA

Talked to Arlene Davidson of Flatbush Films for about 15 minutes.


Confusing Conversation.

1:00 PM - 2:00 PM

Marcia Silen -- Beverly Hills

Finally talked to Marcia, my Hollywood partner, after all these


years.

8:00 PM - 9:00 PM

Gamillion Studios -- Hollywood, CA

Revisit Ted's old film studio.


and is a showcase!

The property is totallly revitalized

August 13, 2005


Saturday
1:00 PM - 2:00 PM

Border Patrol -- Santa Monica Pier Lunch

discussion

3:00 PM - 4:00 PM

Border Patrol Arrest -- Santa Monica Pier

Fruit Vendor arrested, no license.

Police let him go.

no papers.

August 15, 2005


Monday
9:00 AM - 10:00 AM

Stan Caterbone

Defendat Brief due, Phil Fed Court

9/25/2006 10:13 AM

August 16, 2005


Tuesday
10:00 AM - 11:00 AM

Did you write the article about...2 feline's? in 97-8

August 18, 2005


Thursday
7:00 AM - 8:00 AM

Sheryl - 95.5 'PLJ

6:00 PM - 7:00 PM

tobey Kieth -- Hershy Stadium

August 19, 2005


Friday
9:00 PM - 10:00 PM

Meeting with Joe Pinto -- Barnstormers game

Wants to develop a summer concert series with the rest of the league.
Would be a nice 10-12 week schedule if the rest of the league
participated. Needs to address staging and financing costs.
Suggested researching a bonding or similar financing vehicle for
attracting shows and securing schedules.

August 21, 2005


Sunday
9:00 AM - 10:00 AM

Honda Payment Due

August 25, 2005


Thursday
5:00 PM - 6:00 PM

Creative Zen mp3 player report -- WagonWheel Restuarant

Reported to Conestoga Police Officer that the Creative Zen Micro mp3
player was tampered with and the player frozen with no way of
restoring it. Said he would make a report, although he did not take
any real information or write anything down.

August 26, 2005


Friday
8:00 AM - 9:00 AM

Avril - CBS Good Morning America

August 30, 2005


Tuesday
10:00 AM - 11:00 AM

Craig Amhous -- Clipper Stadium

719-492-2745

1:30 PM - 2:30 PM

UPS Store -- John Meeder Office

August 31, 2005


Wednesday
9:45 AM - 10:45 AM

UPS Store -- Meedcor

UPS Store and Excelsior Place meeting.


Stan Caterbone

Notes to follow.
9/25/2006 10:13 AM

August 31, 2005 Continued


Wednesday
2:00 PM - 3:00 PM

Sheryl USA Today Women Rule PR -- USA Today Newspaper

4:30 PM - 5:30 PM

Power Station -- email

September 01, 2005


Thursday
11:00 AM - 12:00 PM

Honda - Repo Company Called Wanted Case Numbers -- Home

Reposession Co called and wanted van back. Said Honda is going to


get a court order. Said he would call back. Asked for Judge and
Case Numbers filed in Federal Court

September 06, 2005


Tuesday
8:00 PM - 9:00 PM

Coldplay -- Madison Sq Garden

September 07, 2005


Wednesday
4:00 PM - 5:00 PM

Message Therapist

7:00 PM - 8:00 PM

Green DAy -- Wachovia Center - Philadelphia

September 08, 2005


Thursday
11:30 PM - 11:45 PM

Sheryl Tapes MTV Katrina Benefit in NY -- MTV Studios Times Square New York

September 09, 2005


Friday
6:00 AM - 7:00 AM

Sheryl AOL Sessions Starts Streaming -- 1st 4 Cuts

8:00 AM - 9:00 AM

Harleysville Insurance Payment Due

4:00 PM - 5:00 PM

Lens Crafters - Contacts -- Park City

7:00 PM - 8:00 PM

LIVE - BET Concert -- Simmons Recording Record

8:00 PM - 9:00 PM

LIVE -- Sheryl A Concert For The Gulf Coast - 10 -- All Major Networks

September 10, 2005


Saturday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

8:00 PM - 11:00 PM

Sheryl React MTV Concert Airs -- MTV-VH1-CMT

Stan Caterbone

9/25/2006 10:13 AM

September 10, 2005 Continued


Saturday
8:00 PM - 11:00 PM

Sheryl React MTV Concert Airs - 20 -- MTV-VH1-CMT

8:00 PM - 9:00 PM

Stu Higgens The Honky Tonk Heroe -- Symposium

September 11, 2005


Sunday
7:00 PM - 8:00 PM

Sheryl Italy Concert -- Milan, Italy FestivalBar

September 12, 2005


Monday
8:00 AM - 9:00 AM
10:00 AM - 11:00 AM

Yarnell
Act 23 Fulton Bank -- Tabor

Here we go again?

4:15 PM - 5:00 PM

Cheryl Message -- Chiro

September 13, 2005


Tuesday
8:00 AM - 9:00 AM

Rohrestown

9:00 PM - 10:00 PM

World Music Awards ABC -- LA

10:00 PM - 11:00 PM

Slideshow 2000 Update 2005

September 14, 2005


Wednesday
9:00 AM - 10:00 AM

Fulton Default Payment Due -- Fulton Bank

7:00 PM - 8:00 PM

Sheryl - Germany Concert

September 15, 2005


Thursday
9:00 AM - 12:00 AM

Clinton Global Initiative -- New York, NY

September 16, 2005


Friday
All Day

Clinton Global Initiative -- New York, NY


Please See Above

9:00 AM - 10:00 AM

Sheryl - World Cafe Sessions -- World Cafe ?

Stan Caterbone

9/25/2006 10:13 AM

September 16, 2005 Continued


Friday
12:00 PM - 1:00 PM

$200 check

told mike will buy tv

9:00 PM - 10:00 PM

Sheryl and Lance on 20/20 News

September 17, 2005


Saturday
12:00 AM - 9:00 PM

Clinton Global Initiative -- New York, NY


Please See Above

September 18, 2005


Sunday
10:30 AM - 11:30 AM

LIVE Farm Aid Internet

September 19, 2005


Monday
4:00 PM - 5:00 PM

Jen on Oprah

September 20, 2005


Tuesday
6:00 AM - 7:00 AM

Sheryl AOL Sessions Streaming (Other Cuts)

7:30 AM - 8:30 AM

Lancaster Chamber Non Profit Lobying Forum -- Lancaster Chamber

4:00 PM - 5:00 PM

Lance on Opra -- NY

September 21, 2005


Wednesday
9:00 AM - 10:00 AM

Honda Payment Due

8:00 PM - 9:00 PM

Big Apple To The Big Easy -- Comcast Pay Per View

8:00 PM - 9:00 PM

Los Lonley Boys At Tower -- Atlantic City,NJ

September 22, 2005


Thursday
11:00 PM - 12:00 AM

Sheryl David Letterman -- New York

September 23, 2005


Friday
9:00 AM - 12:00 AM

Stan Caterbone

"Eyes Wide Open" Irag Casualty Multimedia -- F&M College

9/25/2006 10:13 AM

September 23, 2005 Continued


Friday
8:30 AM - 9:00 AM

Sheryl ABC Good Morning America -- NY

12:00 PM - 1:00 PM

Jodie Flight Plan

12:00 PM - 1:00 PM

Sheryl Get's SIRIUS on Satellite Radio

1:00 PM - 2:00 PM

Honorable Judge Anita Brody Chambers -- Federal Courthouse, Philadelphia

Clerk of Judge Brody and Assistant. "Judge not available. Reading


did not respond and did not file brief. Judge will issue order
shortly. Why hasn't the judge issued opiinion, by law it was due 15
days after defendant brief due? Reply "The government does not know
what they are going to do".

2:00 PM - 3:00 PM

U. S. Department of Justice Meeting -- 833 Chestnut Street, Philadlephia, PA

Bankruptcy Trustee For Chapter 11: Never recieved $250 check sent in
on July 18th.
Paid another $250.00 for Chapter 11 Administration

6:00 PM - 7:00 PM

Sheryl Get's SIRIUS on Satellite Radio

8:00 PM - 9:00 PM

Amy Grant Special -- NBC

September 24, 2005


Saturday
All Day

"Eyes Wide Open" Irag Casualty Multimedia -- F&M College


Please See Above

7:00 PM - 12:00 AM

Cream in NYC -- Madison Sq Garden

8:00 AM - 9:00 AM

DVD 14 DAY RETURN

12:00 PM - 1:00 PM

Sirius Channel 18

6:00 PM - 7:00 PM

Sheryl at Boston's Mix 98.5's Mixfest -- Boston

8:00 PM - 9:00 PM

DC at Symposium

September 25, 2005


Sunday
12:00 AM - 10:00 AM

"Eyes Wide Open" Irag Casualty Multimedia -- F&M College


Please See Above

All Day

Cream in NYC -- Madison Sq Garden


Please See Above

6:00 PM - 7:00 PM

Siruis Channel 18

10:00 PM - 11:00 PM

Sheryl Style Star -- Style Star

Stan Caterbone

10

9/25/2006 10:13 AM

September 26, 2005


Monday
12:00 AM - 8:00 PM

Cream in NYC -- Madison Sq Garden


Please See Above

8:00 AM - 9:00 AM

IPOD 14 DAY RETURN

9:00 AM - 10:00 AM

Wildflower UK Release -- London

3:00 PM - 4:00 PM

Jodie on Ellen

8:00 PM - 9:00 PM

Hip Hop Awards vh1?

September 27, 2005


Tuesday
8:00 AM - 9:00 AM

Launch New AMG Website

9:00 AM - 10:00 AM

Wildflower release date -- USA release

11:00 AM - 12:00 PM

Sheryl on The View -- ABC New York

10:00 PM - 11:00 PM

Sirius 18

September 28, 2005


Wednesday
11:15 AM - 12:15 PM

County Commissioners Meeting -- Lancaster County Courthouse

Met with Molly Henderson and had discussion.


thought.

1:00 PM - 2:00 PM

Told her what I

Fulton Bank Mom moved money -- One Penn Square

Mom's accounts. Withdrew $8000 on Monday, Sept 26, and closed the
other account on Sept 23. Met with customer service rep at the bank
headquarters. Why doesn't that suprise me????

6:30 PM - 9:30 PM

Sheryl Accoustic Set -- Times Square Virgin Megastore location

(1540 Broadway Level 2)

8:00 PM - 9:00 PM

Aimee Mann -- Hawii

September 29, 2005


Thursday
8:00 AM - 9:00 AM

I Hope Email -- Dixie Chicks

Sent I Hope mp3 from Dixie Chicks and Sony, from Shelter Concert.

10:00 AM - 10:30 AM

Hopfield School PH Videoi

Send dvd, cd

Stan Caterbone

11

9/25/2006 10:13 AM

September 29, 2005 Continued


Thursday
11:30 AM - 12:00 PM

PA State Tax Exempt Applcation

1:00 PM - 2:00 PM

ab

11:00 PM - 12:00 AM

Sheryl Conan

September 30, 2005


Friday
12:00 AM - 12:30 AM

Sheryl Conan

7:00 AM - 8:00 AM

Sheryl CBS Early Show

8:00 AM - 9:00 AM

Yarnell -- yarnell

6:00 PM - 7:00 PM

Yarnell - Seucurity system malfunction -- 220

Please See Above

garage door not on line

October 01, 2005


Saturday
2:45 AM - 3:45 AM

Yarnell Calls 2 times -- 220

Woke and found 2 calls from yarnell seccurity

6:00 AM - 7:00 AM

Called yarnell to fix system.

System will not arm. Called hq to have it fixed today. Dispatcher


said someone called at 2:45 am because trouble was reported at the
station.

October 02, 2005


Sunday
4:00 PM - 5:00 PM

Yarnell Security -- System Malfunction - Changed Master Passcode

Dispathcer said someone entered house, aborted alarm at 9:21am and


changed the Master Code. Said she would reset. Code changed from
4115 to 2115.
I told her she had a security breach. Mr. Yarnell called me back and
told me to stop calling his despatchers. Then said it was a
malfunction on the board.

Stan Caterbone

12

9/25/2006 10:13 AM

October 02, 2005 Continued


Sunday

Liar.

5:00 PM - 8:00 PM

Aaron Tippin's -- Longs Parkl

5:00 PM - 6:00 PM

Ope Hartlow - Good -- Walmart Fruitville Pike

5:15 PM - 6:15 PM

Conestoga Police Arrest Me For Speeding -- Of Course 33 in a 30 Zone

Gee, something new and different -- Corruption.

7:00 PM - 8:00 PM

Sheryl and Lance Free Austin Concert -- Auditorium Shores, Austin

Lance Diagnosis Concert

October 03, 2005


Monday
8:00 AM - 9:00 AM
9:00 AM - 10:00 AM

tab scans
Property Reclamation

1. 2323 New Danville Pk, Conestoga, PA owned,


2. Useppa Island Townhouse, Captiva, FL downpayment
3. 554 Berkley Road, Stone Harbor, NJ owned, lease to purchae
4. Taquan Glenn Property, Peque, Pa downpayment
5. Navajo Chieften, Turbo Prop, owned
6. Finanacial Management Group, LTD., owned
7. Global Entertainment Group, Ltd., , owned
8. Power Productions I, digital movie, owned
9. FMG Advisory, Ltd., owned
10. Intellectual Property All inclusive.

11:00 AM - 12:00 PM

Call Smokey Roberts Video -- Marietta Aven

Get Master for Project hope

"Numbers Don't Lie"

October 04, 2005


Tuesday
8:00 AM - 9:00 AM

Hempfield Project Hope Video

9:00 AM - 10:00 AM

#2 Wildflower wk 1 - 140,100 -- USA

Stan Caterbone

13

9/25/2006 10:13 AM

October 04, 2005 Continued


Tuesday
1:00 PM - 2:00 PM

Judge Mary Mclaughlin -- U.S. Eastern District

Resubmit original complaint of 1998 affidavit via fax

3:00 PM - 4:00 PM
4:00 PM - 5:00 PM

Jessical Alba ELLEN -- ELLEN show


AMG Website Back On-line

modified power station pages with avatar article.

6:00 PM - 7:00 PM

Email Hempfield HS Admin Numbers Dont Lie Link

6:00 PM - 7:00 PM

Out of the Shadows -- Marietta Avenue Church

8:00 PM - 9:00 PM

Cingular Paid $350 for Wirefly Order

cancelled order, Need to get back Cingular Payment

October 05, 2005


Wednesday
7:00 AM - 8:00 AM
12:00 PM - 1:00 PM

Sheryl On The CBS Early Show -- New York


AB

UNITED STATES TRUSTEE'S RESPONSE TO ORDER TO SHOW CAUSE


WHY THE DEBTOR'S BANKRUPTCY CASE SHOULD NOT BE REINSTATED
On September 21, 2005, this Court entered an Order to Show Cause why,
in light of the Debtor-Appellant's Notice of Appeal and Brief, his
bankruptcy case should not be reinstated in the United States
Bankruptcy Court for the Eastern District of Pennsylvania. The United
States Trustee did not move for dismissal below, and is not a party
to this appeal, but in conformity with the Court's order hereby
submits this response stating she does not oppose reinstatement of
Appellant's case.
I.

PROCEDURAL HISTORY

Appellant commenced his bankruptcy case on May 23. 2005. by filing a


voluntary petition under chapter 11of Title 11 of the United States
Code (the "Bankruptcy Code") Bankr. Docket #1. Appellant was not
represented by counsel at the time he filed his Petition, but was pro
se.
Concurrent with his Petition Appellant filed a Statement of Social
Security %umber,r

3:00 PM - 4:00 PM

Liz Phair Ellen show

3:30 PM - 6:00 PM

Comcast Cable

Stan Caterbone

14

9/25/2006 10:13 AM

October 06, 2005


Thursday
1:00 PM - 2:00 PM

Superior Court of California Filing -- Malibu, California

Filed petitions for estate, and cause of death.

2:00 PM - 11:00 PM

East Lampeter Police Arrest -- Brasserie Restuarant, Lancaster, PA

Filed with California Superior Court for Sammy's Petitions via Willow
Street Post Office. Then headed to Cingular on Lincoln Hwy East,
stopped for lunch at Brasserie. Girl jumped in front of me going in,
SC look alike. 2 girls, noticed SU, with conversation. Stayed to
educate.
One girl, in firs half our, told me to "Get the Fuck OUT"
when I told her about the CIA. Girl next to me was always
delightful, however, she kept running out to her car. Good Cop Bad
Cop strategy? Anyway, the entire bar was baiting me the whole time,
especially about Sheryl and Lance.
Trouble started when a man, balding, light blue shirt, hands folded,
standing behind me yelled at me about the Marines, trying to
intimidate me. I told him, he was just pissed off about the Marine
indicted at the White House for espionage the day before. All hell
broke out, and the bartender lied about the number of drinks I had,
and told me I'm flagged. Demanded I pay for the bill, I said, no,
I'll pay when I'm read

11:00 PM - 12:00 AM

U2 Takes over Conan Show

October 07, 2005


Friday
1:00 PM - 2:00 PM
3:00 PM - 4:00 PM

Paid Conestoga Police Speeding Fine From Sunday


District Justice Savage -- 15 Giest Road

see 1987

8:00 PM - 9:00 PM

New Orleans benefit performance to open Twilight Concert Series -- Binns Room 42 S. Prince St.
Acedamy of Music

October 08, 2005


Saturday
2:00 PM - 3:00 PM

Sheryl at Sunset Blvd in LA Signing

October 10, 2005


Monday
6:00 AM - 7:00 AM

Patio Table Smashed

9:00 AM - 10:00 AM

Honda Grace Period Payment Due

10:00 AM - 11:00 AM

Southern Regional Police Visit -- 220

Chief Firell responds and takes report - said he would send


assignment number for insurance.

Stan Caterbone

15

9/25/2006 10:13 AM

October 11, 2005


Tuesday
9:00 AM - 10:00 AM
1:00 PM - 2:00 PM

#7 Wildflower wk 2 - 108,500 -- USA


AB Order

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYL.VANIA
IN THE MATTER OF:
STANLEYJ. CATERBONE,
Debtor-Appellant
NO. 05-3689
BKY. NO.05-23059TMT
V.

CIVIL ACTION

United States Trustee

ORDER
AND NOW, thls 5th day of October 2005, it is ORDERED that the abovecaptioned
case is reinstated in the United States Bankruptcy Court for the
Eastern District of Pennsylvania,
provided that Debtor-Appellant comply with the rules and requirement

October 12, 2005


Wednesday
9:00 AM - 10:00 AM
12:00 PM - 1:00 PM

WIP Report to Harleysville A. Mazzuchi


ipod crash

ipod crash at Fremont Street.

October 13, 2005


Thursday
12:00 PM - 1:00 PM

Cingular

4 Customer Service Reps, will provide an audit within 7 days.

October 14, 2005


Friday
11:00 AM - 12:00 PM

Superior Court of CA call

Ann, wanted to know what to do with docs.


messages.

8:00 PM - 9:00 PM
8:00 PM - 8:30 PM

Never called back.

Left 2

Aimee Mann -- House of Blues Anaheim, CA


30 Day Ipod

Circuit City gave Upgrade Comment for New Video to swap, given at
store.

Stan Caterbone

16

9/25/2006 10:13 AM

October 15, 2005


Saturday
6:00 AM - 7:00 AM

Iraq Constitution Vote

Est 65%
High Sunni Vote

5:00 PM - 5:30 PM

Passport Missing

Report stolen to Fedor, Southern Regional from kmart.

8:00 PM - 9:00 PM

Aimee Mann -- San Diego, CA Belly Up

10:00 PM - 10:30 PM

Averatec Crash

October 16, 2005


Sunday
2:00 PM - 5:00 PM

Local ACLU chapter meeting -- Friends Meeting House, 110 Tulane Terrace

6:00 PM - 7:00 PM

Liz Phair -- Phil Theater of Arts

8:00 PM - 9:00 PM

Aimee Mann, LA -- UCLA,

8:00 PM - 9:00 PM

Sheryl at Su Oct 16 : Paramount Theater, Seattle, WA -- Paramount Theater, Seattle, WA

October 17, 2005


Monday
9:00 AM - 10:00 AM

Harleysville Insurance Letter

Still under investigation, reason for case not closed when due.

3:00 PM - 3:30 PM

Dicodemy -- 100 Highlands Dr.,Suite 307,Lititz, PA 17543

8:00 PM - 9:00 PM

Sheryl at Mo Oct 17 : Theater in Clouds, Portland, OR -- Theater in Clouds, Portland, OR

October 18, 2005


Tuesday
All Day

Briefcase Sticker

9:00 AM - 10:00 AM
9:30 AM - 10:30 AM

#23 Wildflower wk 3 - 58,900 -- USA


Live B II -- 220

exec prod sc
prod sclajf
star mk.......
creat con glb

Stan Caterbone

17

9/25/2006 10:13 AM

October 18, 2005 Continued


Tuesday
8:00 PM - 9:00 PM

Aimee Mann -- Tuscon, AZ

8:00 PM - 9:00 PM

Sheryl - Boise Idaho Show -- recently added to schedule on sept 9

October 19, 2005


Wednesday
10:00 AM - 11:00 AM

Hugh Ward, Dept of Justice -- Mobile Phone

Do not need DIP account, and do not have to submit anymore docs for
first meeting. Instructions will follow.

1:00 PM - 2:00 PM

Motorola -- Von Phone

will recieve by the 27th. She said they should have given a tracking
no. before returning, only gave ra no. They recived ra on the 13th.

7:30 PM - 9:30 PM

MSU "Hotel Rwanda" -- Reighard Multipurpose Room in the Student Memorial Center

very good crowd and attendance, standing room out in the lobby.

October 20, 2005


Thursday
9:00 AM - 10:00 AM

F&M Lancaster Chamber Expo

9:00 AM - 10:00 AM

Lancaster Chamber Expo -- F&M

1:30 PM - 2:30 PM

forum post -- LCPD

would not give me a private meeting.

8:00 PM - 9:00 PM
10:00 PM - 10:30 PM

told 3 people in lobby.

Canceled Sheryl at Th Oct 20 : Reno Hilton Pavilion, Reno, N -- Reno Hilton Pavilion, Reno, NV
Sammys File to Dwight Faulding, Santa Barbara County Guardian, Santa Barbara

USPS 2103 8555 7490 1708 3066

October 21, 2005


Friday
9:00 AM - 10:00 AM
1:00 PM - 2:00 PM

Honda Payment Due


Reagan Library Air Force One dedication

said mad, your right, something not right

8:00 PM - 9:00 PM

Canceled? Sheryl at Sa Oct 24 : The Joint, Las Vegas, N -- The Joint, Las Vegas, NV

8:00 PM - 9:00 PM

Sheryl at Fr Oct 21 : Greek Theater, Berkeley, CA -- Greek Theater, Berkeley, CA

Stan Caterbone

18

9/25/2006 10:13 AM

October 22, 2005


Saturday
1:00 PM - 2:00 PM

East Lampeter Citations -- us mail

Docket No. CR-408-05


OTN- L260045-2
Hearing Nov 17, 3:00pm

1:00 PM - 2:00 PM

Summary Appeal Court Notice -- us mail

Citation No. P-4181856-0


NT-132-05
Apeal dismissed, charges dismissed,
I owe them 68.16 more in court costs?

8:00 PM - 9:00 PM

Billy Grahm

One of my Dad's friends

October 23, 2005


Sunday
8:00 PM - 10:15 PM

Sheryl - Hollywood Bowl -- Hollywood, CA

October 24, 2005


Monday
6:00 AM - 7:00 AM

WILMA hits Miami, Ft. Lauderdale

Leak case heats up....

8:00 PM - 9:00 PM

Sheryl at Mo Oct 24 : Copley Symphony Hall, San Diego, CA -- Copley Symphony Hall, San Diego, CA

11:00 PM - 12:00 AM

Excelsior Update to website no link yet

October 25, 2005


Tuesday
7:00 AM - 8:00 AM

Iraq Draft Constitution Adopted

70% for 21% against


voter turnout -

9:00 AM - 10:00 AM

2 Airports Bomb Threats - California -- John Wayne - Long Beach Airports

Evacuaated morning after Sheryl's San Diego Concert

9:00 AM - 10:00 AM

Wildflower wk 4 - 45,900

3:00 PM - 4:00 PM

usps pf

Stan Caterbone

19

9/25/2006 10:13 AM

October 26, 2005


Wednesday
8:00 AM - 12:00 AM

Media, Communications & Technology in the Age of the Blogger -- The Union League Club of New York,
38 East 37th Street,

October 27, 2005


Thursday
12:00 AM - 6:00 PM

Media, Communications & Technology in the Age of the Blogger -- The Union League Club of New York,
38 East 37th Street,
Please See Above

1:00 AM - 2:00 AM

gas at 2.29 hess

October 28, 2005


Friday
9:00 AM - 10:00 AM

Meeting with Judge Mary McGlaughlin -- Federal Courthouse, Philadelphia

met with her, and at least 4 staffers

10:00 AM - 11:00 AM

Sheryl on Ellen's Show -- Los Angelos

6:00 PM - 7:00 PM

Sheryl Pllays The Tower In Philly -- Philadelphia, PA

10:00 PM - 11:00 PM

Sheryl at Tower -- Upper Darby, Philadelphia

only saw last 2 songs

October 29, 2005


Saturday
10:30 PM - 11:30 PM

Shery & Lance SNL -- NY

October 30, 2005


Sunday
8:00 PM - 9:00 PM

Sheryl at Su Oct 30 : Avery Fisher Hall , New York, NY -- Avery Fisher Hall , New York, NY

October 31, 2005


Monday
8:00 PM - 9:00 PM

Sheryl at Mon Oct 31 :Avery Fisher Hall, New York, NY -- Avery Fisher Hall, New York, NY

all done til next year....

November 01, 2005


Tuesday
9:00 AM - 10:00 AM
10:00 AM - 10:30 AM

Wildflower wk 5 - 34.800
District Justice Savage Meeting -- 15 Geist Road, Lancaster

Requested a change of venue. DJ Williams? told me to go to County


Court House to the Court Administrator

Stan Caterbone

20

9/25/2006 10:13 AM

November 01, 2005 Continued


Tuesday
11:00 AM - 11:30 AM

Lancaster County Court Administrator -- Lancaster County Courthouse

Will change to another District Justice. Cited the Affidavit and


1987 abuse in Giest Road during arrest by MT Police, Horton and
Reeser.

November 02, 2005


Wednesday
9:00 AM - 10:00 AM

Sheryl release home bside/cr?

November 04, 2005


Friday
11:00 AM - 3:00 PM

called Hugh Ward about appointment -- Philadelphia

Submitals before meeting.


to reschedule.

Resend original submitals.

48 hour notice

was not in, left message to call if we needed to meet, told him by
back was bad and not able to drive, reschedule for mon or tue.

5:00 PM - 6:30 PM

Cheryl Cancels Appt

1st kettering said ok 6:45, then called five minutes later to cancel
with Cheryl. said she was booked.

6:00 PM - 7:00 PM

Sheryl UK London Concert

November 05, 2005


Saturday
2:00 PM - 2:30 PM

Called Matropietro and Dr Pool

called for appt - both said to go to emergency room

6:00 PM - 7:00 PM

Sheryl UK London Concert

November 06, 2005


Sunday
7:00 AM - 10:00 AM

Lancaster Regional Hospital Emergency Room

too much pain. went for pain pills.

8:00 AM - 9:00 AM

Donegal Insurance Payment Due - 159.00

6:00 PM - 6:30 PM

Missing Ipod Receipt and CD

8:00 PM - 8:30 PM

did not help

Back to ER

stronger meds

Stan Caterbone

21

9/25/2006 10:13 AM

November 07, 2005


Monday
8:00 AM - 9:00 AM

Depost $150 Suburban 2440 dairy rd 898-2267

11:30 AM - 1:00 PM

State of the County11/7/200511:30 AM to 1:00 PM

November 08, 2005


Tuesday
9:00 AM - 10:00 AM
9:00 AM - 10:00 AM

forge
Suburban Propane Install

100 lb 48 gal tank 150.00

9:00 AM - 10:00 AM

Wildflower wk 6 - 31,000

11:00 AM - 11:30 AM

Try to Update Ipod -- Circuit City, Lancaster

November 10, 2005


Thursday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

November 13, 2005


Sunday
2:00 AM - 3:00 AM

pic

8:00 AM - 9:00 AM

Borden Murders -- Lititz, PA

November 14, 2005


Monday
4:00 PM - 5:00 PM

Lancaster County Criminal Prothonetary Office -- Lancaster County Courthouse

2 documents were not served including the notice for hearing and the
notice regarding appeal decision. Clerks were not very helpful, and
kept giving excuses as to why I never received any notices.
Always
quick to take my mone for the 2 copies.
Went to Treasurers office, again very condensending, however always
smileing when taking my 68.16 for an appeal that I was never granted
any access to the courts to present my case or more importantly to
appeal my case, yet I paid them for what?

November 15, 2005


Tuesday
9:00 AM - 10:00 AM

Wildflower wk 7 - 22,300

8:00 PM - 9:00 PM

cma awards

Stan Caterbone

22

9/25/2006 10:13 AM

November 16, 2005


Wednesday
9:00 PM - 11:00 PM

Johnny Cash Special

November 17, 2005


Thursday
9:00 AM - 10:00 AM

Napster Free Trial Ends - 14.95 -- Online

3:00 PM - 4:00 PM

656-2191District Judge Ron Savage Court Hearing -- 15 Geist Road, Lancaster, PA 17601

8:00 PM - 8:30 PM

Aimee 790706203960 - Keswick Theatre, Glenside, PA

November 18, 2005


Friday
9:00 AM - 9:30 AM

Johnny Cash I Walk the Line Release

November 21, 2005


Monday
9:00 AM - 10:00 AM

Honda Payment Due

9:00 AM - 10:00 AM

Reading Courtroom Creditors Meeting

12:30 PM - 1:00 PM

Creditors Meeting Courtroom 1

November 22, 2005


Tuesday
9:00 AM - 10:00 AM

#66 Wildflower wk 8 - 19,200

1:00 PM - 2:00 PM

Joss Package per Feb 05

8:00 PM - 9:00 PM

ama awards

November 24, 2005


Thursday
9:00 AM - 10:00 AM

Sheryl Plays at Dallas Cowboys For Salvation Army. -- Dallas, TX

November 25, 2005


Friday
3:00 PM - 3:30 PM

Stan Caterbone

Caden Born 5 lbs.

23

9/25/2006 10:13 AM

November 27, 2005


Sunday
4:00 PM - 4:30 PM

Walk the Line-Manor Cinema

November 28, 2005


Monday
All Day

Smart Document solutions 8004640035 -- CC47263/0078719539

www.sdspayonline.com

7:00 AM - 8:00 AM

Sheryl & He Mom at Aquatic Center Mom CBS -- Keneet Pool

9:00 AM - 10:00 AM

Walk the Line/manor cinema

November 29, 2005


Tuesday
9:00 AM - 10:00 AM
1:00 PM - 2:00 PM

# 54 Wildflower wk 9 - 31,400
Chapter 11 fees -- Reading Clerk of Courts

Paid fee schedule. Clerk provide details for Dec 15 creditors


meeting, along with mandatory requirements.
Addendums and
supplimentals to schedules for creditors.

8:00 PM - 9:00 PM

Sheryl & Lance 2020 -- ABC 20/20

November 30, 2005


Wednesday
9:00 AM - 10:00 AM

Lancaster County Commmissioners Meeting -- lancaster County Courthouse

Art Moris gave recomendations for County Solicitor - excellent.


Convention Center debate; this is exactly what happens when everyone,
including LCCA and County Commisioners conduct business via back room
operations. Everyone seems to forget back in 1998 the enthusiasm for
the project and who killed it - Hoteliers and the lawyers.
The current state of affairs and the financial losses to date is
exactly what happens when politics and maybe even corruption drag out
a project for seven years without ever breaking ground - THE LAWYERS
GET RICH! and the Taxpayers pay the price. Enought blame for
everyone on this one.
If you want to play small town politics, then be happy with a small
and stagnent town, otherwise clean up this corruption.

10:00 AM - 11:00 AM

Charlie Smithgall -- City Hall

visited with Dee, she explained the proposal for the Lancaster Press
Building and we discussed the skyline debate and project.

3:00 PM - 4:00 PM

Dr. Newman, Chiropractor -- Leola Family Health Center

Laser Treatment for groin.

Stan Caterbone

24

9/25/2006 10:13 AM

November 30, 2005 Continued


Wednesday
4:00 PM - 5:00 PM

Mazzi's Ralph Mazzochi -- Leola

Stopped to say hi to Ralph.

5:00 PM - 6:00 PM

Cheryl @ Kettering Chiropractic -- Wiilow Street Pike

Stopped to give her info about Laser Treatments - Ket said she is no
longer here and moved on. No more messages.

8:00 PM - 9:00 PM

Sheryl - NYC Tree Lighting -- Central Park

December 01, 2005


Thursday
11:00 AM - 11:30 AM

Judge Twardowski Hearing Courtroom 1 3rd Floor -- Reading, PA

Fee Schedule
Cancelled, paid on Tuesday

11:00 AM - 11:30 AM

Reading Court Hearing

December 02, 2005


Friday
2:00 AM - 3:00 AM

East Lampeter Addendum for Hearing -- desktop

East Lampeter Citation Addendum to notes:


1.
After walking outside I tried to give my credit card to the
officer to pay for my bar tab, officer refused to take the credit
card so I threw the credit card on the ground. I told the officer
that the bartender tried to charge me for 8 drinks, which was not
true. I asked the bartender to see my tab with my drink totals on
it, she refused. Thats when I told her to call the police. She
inflated my drink total and would not let me see the tab or the
computer print out of my bar tab.
2.
I never yelled obscenities at the police that I can remember,
however, I do remember becoming furious when they did not let me pay
my tab, and especially when they said that I was too drunk to drive
my car home and insisted that I get a taxi home.
3.
I was especially concerned about leaving my car at the bar
because of all of my documents for my court cases that were in the
car. I did not want another incident of people accessing my files,
like what h

2:15 PM - 3:15 PM

Dr. Newman - Laser Treatment -- Leiola Family Health Center

2nd Treatment

December 03, 2005


Saturday
8:00 PM - 9:00 PM

The Players in Vegas -- Mandalay Bay,Las Vegas, NV

WHO: Special appearance by Lance Armstrong and an acoustic set by


Sheryl Crow.
WHERE: Mandalay Bay
WHEN: Saturday, December 3rd
TIME: 7 p.m., General Reception; 8:00 p.m. Dinner, Entertainment,
Live & Silent Auction.
Stan Caterbone

25

9/25/2006 10:13 AM

December 03, 2005 Continued


Saturday
TICKETS: Tickets are $500 each. For more information please call The
Leukemia & Lymphoma Society office at (702) 436-4220

December 05, 2005


Monday
9:00 AM - 10:00 AM

East Lampeter Hearing -- 424 S. Angle Street,Mount Joy, PA 17552 656-2191

Charges withdrawn - May or may not be reissued by Judge Ruetter.


What a crazy discussion and hearing. Judge gave me the finger in the
end while pointing to PA on a piece of paper. I'll save the
specifics and details for myself on this one.
I DO NOT NEED A LAWYER TO TELL THE TRUTH!
OF COURSE, EVEN THE BEST LAWYERS ARE NEGATED TO INEFFECTIVE COUNSEL
IN CORRUPT COURTROOMS.

12:00 PM - 1:00 PM

Laser Treatments -- Dr. Newman, Leola

December 06, 2005


Tuesday
7:00 AM - 8:00 AM

ebay account hacked -- eBay account

23 ipods listed from my store from Bejing China

8:00 AM - 9:00 AM

ifcc fbi I05120608348825 -- fbi internet fraud unit

ifcc internet fraud account


I05120608348825
sullit

9:00 AM - 10:00 AM

#65 Wildflower wk 10 - 23,600

December 07, 2005


Wednesday
11:00 AM - 12:00 PM

Dr. Black -- WillowStreet

request for records

December 08, 2005


Thursday
8:00 PM - 12:00 AM

fiona - tower -- Phil 69th street

black ice - roads too bad to trave


smiller

4:00 AM - 5:00 AM

IFCC FBI I05120804514805 -- fbi internet fraud unit

I05120804514805
hudasi
You are about to submit a complaint with the IFCC.
Please review your information prior to submission.
A PDF copy of your complaint will be emailed to:
Stan Caterbone

26

9/25/2006 10:13 AM

December 08, 2005 Continued


Thursday
amgroup01@msn.com
IFCC COMPLAINT REFERRAL FORM
The following information was provided by the victim and may be
forwarded
to the appropriate law enforcement or regulatory agencies.
Computer Intrusion/Hacking
Date of Complaint: 12/8/05 4:51:15 AM
Victim Information
Business Name: Advanced Media Group andGlobal Entertainment
Group
Name: Stan J Caterbone
DOB: 07/15/1958
Gender: M
Phone #: 7177995915
Email: amgroup01@msn.com
Street Address: 220 Stone Hill Road
Suite/Apt/Mail Stop:
City: CONESTOGA
Live in city limits: No
County: Lancaster State:PA Zip: 17516
Country USA
Do you have pertinent documents in paper form? No
Please indicate who your local law enforcement agency is:
Southern Regional Police Department
Please List the easiest way and most convenient time to contact you:
phone and

9:15 AM - 10:15 AM
3:00 PM - 4:00 PM

Laser Treatments -- Leola Family Health Clinic


take website down -- omnis

took offline

4:00 PM - 5:00 PM

Discover Card -- cell

at least 3 calls
teresea "your case was dismissed on Nov 28, reported on dec 7"
fees to clerk of courts on nov 29th

paid

December 09, 2005


Friday
12:00 AM - 10:30 PM
11:00 AM - 12:00 PM

fiona - tower -- Phil 69th street

Please See Above

ujoe -- cell

again
trouble for myself?

December 10, 2005


Saturday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

11:00 AM - 12:00 PM

30 Day Free Magazine Orders Expire - vog elle enter etc.

Stan Caterbone

27

9/25/2006 10:13 AM

December 10, 2005 Continued


Saturday
5:00 PM - 6:00 PM

Syriana -- Manor Regal Cinemas

well done movie

December 12, 2005


Monday
1:00 PM - 2:00 PM

CD/DVD Writer Hacking -- Cyberwarehouse,Lancaster

tried to restore sys.config - did not work


tried to install new cd/dvd writer - did not work
said to reinstall operating system and reinstall all software
was able to write to 3 cd on Iomega drive before it was hacked early
am
cd writer and dvd writer hacked last month

4:00 PM - 5:00 PM

Comcast Cable Disconected? -- dirty rotten scondrels

8:00 PM - 9:00 PM

Elton John Red Piono -- NBC

December 13, 2005


Tuesday
9:00 AM - 10:00 AM
9:00 AM - 10:00 AM

#67 Wildflower wk 11 - 23,600


LNP The Forgotten Soldier

Forgotten soldier
Hempfield grad was on a top-secret mission in Vietnam; his role and
details of his death were kept from family for many years
By AD CRABLE, New Era Staff Writer
Henry Gerald Gish, Lancaster County's forgotten Vietnam soldier,
saved the lives of his buddies. He was dead at the time. After
nightfall on March 11, 1968, the secret radar base Gish and 18 other
hand-picked Americans were running atop a cliff in the Laos jungle
came under attack by daring North Vietnamese commandos. The illequipped Air Force soldiers, technically Civilians at the time,
scrambled for cover in a hail of bullets and rocket shells. The 25year-old Gish, the kid of the group, and four others piled into a
cave on the mile-high precipice, dubbed Lima Site 85 by the U.S.
government.
Gish was killed early on by a ricocheting bullet. When a grenade was
lobbed into the cave, his body was dragged onto the explosive. Three
airmen survived because of that. But the United States was not
supposed to

December 15, 2005


Thursday
1:00 AM - 2:00 AM

Iraq Votes -- Iraq

Iraq Votes

Stan Caterbone

28

9/25/2006 10:13 AM

December 15, 2005 Continued


Thursday
12:30 PM - 1:30 PM

Meeting of Creditors Reading Courtroom 1 3rd Floor610-320-5255 -- 400 Washington Street,


Reading,pa

341 Meeting with Mr. Ward of Department of Justice, No Creditors


attended. Routine meeting to clarify under oath schedules submitted.
Said to submit all filings to Reading Courts and would only hear from
DOJ if anything additional is needed. Asked when able to file
reorginaztion plan, answered "hard to answer at this time without any
further information from Judge Maclachlin of Eastern Regional
District Courts".

December 16, 2005


Friday
12:00 PM - 1:00 PM

Sheryl Live on Howard Stern -- New York city

Great Concert and interview by HS

7:00 PM - 8:00 PM

The Marsch sisters-White House Xmas Singers -- Hollinger House, Willow Valley

Open House and concert

11:00 PM - 11:30 PM

Josh Creative Completed

December 17, 2005


Saturday
6:00 AM - 7:00 AM

Judge McLaughlin Hearing Request -- Stone Hill

Stanley J. Caterbone (pro se)


220 Stone Hill Road
Conestoga, PA
17516
United States District Court for the Eastern District of Pennsylvania
Honorable Judge Mary A. McLaughlin
Room # 13614
601 Market Street, Room 2609
Philadelphia, PA 19106-1748
Phone: (215) 597-7704
Fax: (215) 597-6390 600
Re: Case No. 05-2288
Honorable Judge Mary A. McLaughlin,
On Thursday, December 15th, in the United States Bankruptcy Court for
the Eastern District of Pennsylvania, I had my 341 Conference with
Mr. Ward of the Trustees office of the Department of Justice, under
oath. This meeting was recorded by Mr. Ward; the only persons
present were a Security Officer of the courts, myself, and Mr. Ward.
No creditors elected to attend.
During our meeting I was asked to determine the date of time in which
I will be able to submit my reorganization plan to the courts as
prescribed by law. My answer was that I have not had access to the
above aforementioned case, and until I do, it wo

Stan Caterbone

29

9/25/2006 10:13 AM

December 17, 2005 Continued


Saturday
1:00 PM - 2:00 PM

Hot Tub Cramp

almost freakin ....

3:00 PM - 4:00 PM

Cingular -- Park City,Lancaster,PA

Replace and activate new simm card in old phone to replace stolen
phone.
data cable
charging cable stolen
TGIF

6:00 PM - 7:00 PM

Josh Christmas Gift -- Harrisburg Pike,Lancaster,PA

Label/Receipt Number: EC90 6902 833U S


Status: Enroute
Your item was processed and left our LANCASTER, PA 17604 facility on
December 17, 2005. Information, if available, is updated every
evening. Please check again later.
hipped to:
JHOSSELIN VAZQUEZCALIZAYA
CFCA- FUNDACION CRISTIANP
CASILLA 558 1COCHABAMBA

6:00 PM - 7:00 PM

USPS 176/414406-9550 -- Harrisburg Pike,Lancaster,PA

To Judge McLaughlin
to Judge Twardoswski

December 21, 2005


Wednesday
9:00 AM - 10:00 AM

Honda Payment Due

10:00 AM - 11:00 AM

Budget Submittals to Reading

4:00 PM - 4:30 PM

Laser Treatment -- Leola Family Health Clinic

8:00 PM - 9:00 PM

Christmas Adoption showSheryl Crow, The Goo Goo Dolls, Toni Braxton and Yolanda Adams -- CBS

December 23, 2005


Friday
10:00 PM - 10:30 PM

Men In Black Johny Cash Tribute -- Chamilion Club, Lancaster, PA Prince Street

December 27, 2005


Tuesday
9:00 AM - 9:30 AM

Stan Caterbone

#72 Wildfower wk 12-23,600

30

9/25/2006 10:13 AM

December 28, 2005


Wednesday
8:00 AM - 8:30 AM

Cyberwarehouse Restore System -- Lancaster, PA

$50 to Restore to factory settings


$45 wireless pci card for old laptop

December 30, 2005


Friday
1:00 AM - 1:30 AM

Es usps mail -- Harisburg Pike, Lancaster, PA

9:00 AM - 9:30 AM

Es email Avatar,Interscope, RIAA -- cc mail list

December 31, 2005


Saturday
4:30 AM - 5:00 AM

Depart for Los Cabos Southwest FL to Houston 7:20 am -- 220 Stone Hil to Philadelphia International

Charged me an extra $25 for lugage that they ended up loosing later in the day at Houston
Airport
1:00 PM - 1:30 PM

Lost Luggage when arrive in Houston (Houston Hobby Airport)

1:00 PM - 1:30 PM

Mom calls on cell phone while in meeting with Southwest Airlines re lost luggage (Southwest Arilines
Office at Hobby, Airport)

8:00 PM - 8:30 PM

Arrive at Puarto Vallarte (PVR) not Los Cabos -- Puarte Vallarte, Mexico

9:00 PM - 9:30 PM

Arrive via taxi at Marriot Hotel, Puarta Vallarte -- Puarta Vallarte, Mexico

Wanted $450.00 per night, US, was sent there by car rental vendors at PVR airport.

January 10, 2006


Tuesday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

January 16, 2006


Monday
7:00 PM - 8:00 PM

Martina Hershey Giant Theatre

January 21, 2006


Saturday
9:00 AM - 10:00 AM

Honda Payment Due

February 10, 2006


Friday
9:00 AM - 10:00 AM

Stan Caterbone

Honda Grace Period Payment Due

31

9/25/2006 10:13 AM

February 15, 2006


Wednesday
9:00 AM - 10:00 AM

Chapter 11 meeting -- Reading, PA

February 18, 2006


Saturday
9:00 AM - 12:00 AM

Mardi Gras - New Orleans

February 19, 2006


Sunday
All Day

Mardi Gras - New Orleans

Please See Above

February 20, 2006


Monday
All Day

Mardi Gras - New Orleans

Please See Above

February 21, 2006


Tuesday
All Day

Mardi Gras - New Orleans

9:00 AM - 10:00 AM

Honda Payment Due

Please See Above

February 22, 2006


Wednesday
All Day

Mardi Gras - New Orleans

Please See Above

February 23, 2006


Thursday
All Day

Mardi Gras - New Orleans

Please See Above

February 24, 2006


Friday
All Day

Mardi Gras - New Orleans

Please See Above

February 25, 2006


Saturday
All Day

Mardi Gras - New Orleans

Please See Above

February 26, 2006


Sunday
All Day

Stan Caterbone

Mardi Gras - New Orleans

Please See Above

32

9/25/2006 10:13 AM

February 27, 2006


Monday
All Day

Mardi Gras - New Orleans

Please See Above

February 28, 2006


Tuesday
12:00 AM - 10:00 AM

Mardi Gras - New Orleans

Please See Above

March 10, 2006


Friday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

March 21, 2006


Tuesday
9:00 AM - 10:00 AM

Honda Payment Due

April 10, 2006


Monday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

April 21, 2006


Friday
9:00 AM - 10:00 AM

Honda Payment Due

April 28, 2006


Friday
7:30 PM - 8:00 PM

Barnstormers Opening Game

May 10, 2006


Wednesday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

May 21, 2006


Sunday
9:00 AM - 10:00 AM

Honda Payment Due

June 07, 2006


Wednesday
1:00 PM - 1:30 PM

Fulton Bank's Response to Plaintiffs Motion for Ex Parte Meeting

126 East King Street


Lancaster, PA 17602-2893
Tel717.299.5201 Fax 717.291.4660
www.barley.com
Stephanie Carfley, Esquire
Djrect Dial Number: 717.399.1 536
E-mail: scnrfley@barIey.com
Stan Caterbone

33

9/25/2006 10:13 AM

June 07, 2006 Continued


Wednesday
June 5,2006
Stanley J. Caterbone
220 Stone Hill Road
Conestoga. PA 175 16
Re: Stanley J. Caterbone v. Fulton Bank, et al.
Dear Mr. Caterbone:
Enclosed please find a copy of Defendant Fulton Bank's Response to
Plaintiffs Motion
for Ex Parte Meeting with the Honorable Mary A. McLaughlin, the
original of which has been
electronically filed this date.
Very truly yours,
.,
Stephanie Carfley
sckat:1641517.1
Enclosure
cc: George M. Gowen, 111, Esquire
George T. Brubaker, Esquire, Esquire
Howard L. Kelin, Esquire
Michael Donahue, Stone Harbor Police Department
Stephen Basse, Esquire
Lancaster York . Harrisburg. Reading Berwyn Hanover Chambersburg
Responses and Replies
-2 :05cv-02288-MAM CATERBONE v. LANCASTER COUNTY PRISON et al CASE
CLOSED on
0411 212006
United States Distri

June 08, 2006


Thursday
6:00 PM - 6:30 PM

Fulton Bank Giftcard carl mummert email

From :
Advanced Media Group <amgroup01@msn.com>
Sent :
Thursday, June 8, 2006 6:55 PM
To : "'Mummert, Carl'" <CMummert@fultonbank.com>
CC : <amgauctions@comcast.net>
Subject :
RE: Fraud Inquiry by you on Visa Gift Card
http://gfx2.hotmail.com/spacer.gif
Go to previous message
<javascript:S('getmsg','','','','','0ABD4341-2795-4B1D-82A8-5DA57397F
0F1','','','prev','12794280967013')>
|
Go to next message
<javascript:S('getmsg','','','','','0ABD4341-2795-4B1D-82A8-5DA57397F
0F1','','','next','12794280967013')>
|
Delete
<http://by104fd.bay104.hotmail.msn.com/cgi-bin/getmsg?msg=
0ABD4341-2795-4B1D-82A8-5DA57397F0F1&start=0&len=87731&imgsafe=y&wo=
12794280967013&curmbox=00000000%2d0000%2d0000%2d0000%2d000000000001
&a=91c684f035c549da9f063c3e905d27183ac75baa82b37e368e0037a4dc5f1601#>
|
Inbox <javascript:HM('curmbox=
00000000-0000-0000-0000-000000000001')>
Fulton Bank owes me $45.98.
Sir, you are blind, there are (2) $26.90 charges on my Gift card
Transaction details.

Stan Caterbone

34

9/25/2006 10:13 AM

June 09, 2006


Friday
9:00 AM - 9:30 AM

Hearing for Conetoga Speeding Ticket -- District Court, 25 East State Street,Quarryville,PA 17566
717-786-7368

717-786-2072 fax

June 10, 2006


Saturday
12:30 AM - 1:00 AM

Dave, Heather, Cory,Gordie,John Gaul & Merna at Rock Hill -- Rock Hill Tavern

Everything fine until Dave, John and Gordie walked out to go to ..


Dave bought me a drink and a round for Corie B-day.
Was civil to all
Heather started trouble after Dave walked out, "why did you sue Dave,
it is recorded" Kept telling her it was not.
You are not married to Sheryl Crow, you are a lier"
Moved to the other side of bar to talk to guy with Project Hope golf
shirt on, John? Stoe
Bartender kept giving me a hard time for all the Pflumms
Bartender yelled at me that now is not the time, I said she started
it by bring it up, and I was informing her of the truth.
Bitch bartender called me a Dick, so I called her a Cunt and she took
my drink. Told Harris to give me my drink back, only had 2 beers all
night at Prince street bar.
Corie yelled, he has been going off on everyone tonight.

9:00 AM - 10:00 AM

Honda Grace Period Payment Due

June 12, 2006


Monday
1:00 PM - 1:30 PM

PLAINTIFFS REPLY TO FULTON BANKS RESPONSE TO PLAINTIFFS MOTION FOR EX PARTE MEETING
WITH THE HO -- US District Courthouse Philadlphia

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA

STANLEY J. CATERBONE,
Plaintiff
v.

No. 05-

CV-2288
LANCASTER COUNTY PRISON,
MANHEIM TOWNSHIP POLICE DEPARTMENT,
DEMANDED
STONE HARBOR POLICE DEPARTMENT,
AVALON POLICE DEPARTMENT,
COMMONWEALTH NATIONAL BANK (LC. MELLON BANK),
SOUTHERN REGIONAL POLICE DEPARTMENT,
LANCASTER COUNTY SHERIFFS DEPARTMENT,
FULTON BANK
Defendant

Stan Caterbone

35

JURY TRIAL

9/25/2006 10:13 AM

June 12, 2006 Continued


Monday
PLAINTIFFS REPLY TO FULTON BANKS RESPONSE TO PLAINTIFFS
MOTION FOR EX PARTE MEETING WITH THE HONORABLE MARY A. McLAUGHLIN

FULTON BANK RESPONSE


Defendant, Fulton Bank, by and through its attorneys, Barley Snyder,
LLC, hereby files the following Response in opposition to Plaintiffs
Motion for Ex Parte Meeting with the Honorable Mary A. McLaughlin: On
or about June 2,2006, Plaintiff filed a Motion requesting an ex parte
meeting with the Honorable Mary A. McLaughlin "to discuss the
problems of preceding, this a

June 13, 2006


Tuesday
12:00 AM - 12:30 AM

Judge Mary McLaughlin Memorandum and Order of June 13 2006

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE \ L E D CIVIL ACTION
LANCASTER COUNTY PRISON, et al . . hid2 c!- /i NO. 05-2288
MEMORANDUM AND ORDER
The pro se plaintiff has made numerous allegations against numerous
defendants in his eighty-seven page complaint
The Court will dismiss the complaint as to moving defendants Mellon
Bank (named as "Commonwealth National Bank"), Manheim Township Police
Department, and Fulton Bank for failure to state a claim. The Court
will also dismiss the complaint as to non-moving defendants Southern
Regional Police Department, Stone Harbor Police Department, AValOn
Police Department, Lancaster County Prison and Lancaster County
Sheriff's Department for failure to serve the complaint and summons.
I. Failure to State a Claim Each of the moving defendants has moved
to dismiss on the ground that the plaintiff has failed to state a
timely claim.' The United States Court of Appeals

June 14, 2006


Wednesday
7:30 AM - 8:00 AM

Manor Township Police - Report Rules Book Stolen

Talked to Officer Carolyn, would not give incident number.

2:00 PM - 2:30 PM

PA Rules of Civil Procedure Stolen -- Leisure Lanes Driving Range, Columbia Ave, Lancaster, PA

June 15, 2006


Thursday
All Day

PA Attorney General Gus Dorn

Said to put it in writing, said ..


TOM CORBET
ATTORNEY GENERAL
Stan Caterbone

36

9/25/2006 10:13 AM

June 15, 2006 Continued


Thursday
COMMONWEALTH OF PENNSYLVANIA
OFFICE OF ATTORNEY GENERAL
RUREAII OF CONSUMER PROTECTION
Harrisburg Regional Office
301 Chestnut Street, Suite 105
Harrisburg, PA 17101
(7171 787-7109
May 31, 2006
Stdn Caterbone
220 Stone Hill Road
Zonestoya, PA 17516
Ref: Yarnell Securities, A-002594-2006
Dedr Mr. Caterbone:
The erlclosed correspondence is related to your complaint filed with
the Bureau
01 Consumer Protection.
Please provide us with a written response to this correspondence
within
fifteen (15) days of the date of this letter so that we may further
evaluate
your complaint.
If we do not hear from you in a reasonable amount of time, we will
assume that
you do not wish to pursue the matter further.
Thank you for your cooperation and attention to this matter.
Very truly yours,
H. Gus Dorn
P/&,
Senior Agent
ml
Enclosure
25C

10:00 AM - 10:30 AM

Hearing DJ Ballentine Caterbone v. Comcast -- 30 Locust Street,Lancaster,PA

Comcast failed to show, Office said I will receive new notice, I said
I win by defualt judgement. I was not notified by mail or any new
hearing date. Nothing in mail today either.

1:00 PM - 1:30 PM

Harleysvill - PA Insruance Dept. Jim John Phone Call

Vonney Shutt out of office, supervisor, took call, said he would


investigate and get back to me in a few days.

June 17, 2006


Saturday
8:00 PM - 8:30 PM

Tim McGraw & Faith Hill - SOLD OUT -- GIANT Center

Event Name:

2nd Show Added for Tim McGraw & Faith Hill - SOLD OUT

Type of Event:
Show
Entertainment
Venue:
Hershey

GIANT Center

Event Date(s):
Event Time(s):
On-Sale Date:
Stan Caterbone

Concert

6/17/06
8:00 PM
3/25/06
37

9/25/2006 10:13 AM

June 17, 2006 Continued


Saturday
On-Sale Time:
10:00 AM
Admission:
$87.75, $62.75 and $42.75
***8 Ticket Limit***
Processing fee will apply
Parking Fee is applicable
Event Details:
Their first scheduled show sold out in just
minutes. Now the most famous couple in country music will perform at
the GIANT Center on June 17 at 8 p.m. Tickets go on sale on Saturday,
March 25 at 10 a.m.
The mega-tour, which is expected to exceed 70 concert dates, will
kick off on April 21 at The Nationwide Arena in Columbus, Ohio.
Soul2Soul II puts to end a nearly six-year hiatus away from the road
for Hill, and puts McGraw back onstage in front of the loyal
audiences that have served to make him one of the music industrys
biggest touring acts.
Tim McGraw and Faith Hills Soul2Soul Tour

June 18, 2006


Sunday
8:00 PM - 8:30 PM

Tim McGraw & Faith Hill - SOLD OUT -- Hershey Stadium

Tim McGraw & Faith Hill - SOLD OUT

June 19, 2006


Monday
12:00 AM - 12:30 AM

Judge Mary McLaughlin Order for Amended Complaint

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE CIVIL ACTION
v.
LANCASTER COUNTY PRISON.
NO. 05-2288
ORDER
Filed JUN 19 20006
AND NOW, this 19th day of June, 2006, upon consideration of the
plaintiff's reply brief in support of his motion for an ex parte
meeting with the Court, IT IS HEREBY ORDERED that, to the extent that
the plaintiff is requesting leave to file an amended complaint: 1)
the request shall be deemed a motion to file an amended complaint;
and 2) the motion is GRANTED. Although the Court dismissed many of
the claims in the original complaint as time-barred, and the
plaintiff has not attached a proposed amended complaint to
demonstrate that he will be able to cure the deficiencies in the
original complaint, the plaintiff is entitled to amend his pleadings
once as a matter of course before a responsive pleading is served.
Fed. R. Civ. P. 15(a); Shane v. Fauver, 213 F.3d 113, 115 (3d Cir.
200

Stan Caterbone

38

9/25/2006 10:13 AM

June 19, 2006 Continued


Monday
10:30 AM - 11:00 AM

H. Gus Dorn Commonwealth Of Pennsylvania

Advanced Media Group


220 Stone Hill Road
Conestoga, PA
17516
June 19, 2006
H. Gus Dorn
Commonwealth Of Pennsylvania
Office Of Attorney General
Bureau Of Consumer Protection
Harrisburg Regional Office
301 Chestnut Street, Suite 105
Harrisburg, PA 17101
(7171 787-7109
May 31, 2006
Re: A-002594-2006
As per our conversation, I will address the issues contained in Mr.
Yarnells response to your office. Please not that I was not given
any of the exhibits that Mr. Yarnell submitted to your office.
On August 26,2005 we entered into an agreement with Mr. Caterbone
for the installation and monitoring of an alarm system at 220 Stone
Hill Road Conestoga, PA 17518. Our standard pricing for the system he
ordered is $1,899.00 and then he would pay $192.00 per year for the
monitoring of the system. Another option he was given was to pay
$1,324.00 for the installation and then pay $299.40 per year for 5
years. Mr. Caterbone chose the 2nd option. (Attached ma

11:30 AM - 12:00 PM

Visit Lancaster Courthouse PA Rules Book Returned to Briefcase -- Lancaster County Courthouse

Noticed when getting briefcase out to go into courthouse


Get release of lien doc from Prothonetary

June 20, 2006


Tuesday
4:00 AM - 4:30 AM

Woke up with legs locked

Both groins were locked, could not walk, hypnotized via tv??

10:30 AM - 11:00 AM

Hearing East Lampeter Prelim Hearing

1:30 PM - 2:00 PM

Visit Lancaster County Prothenetary Civil & Criminal -- Lancaster County Courthouse

File release of lien and get info for appeal for Tim Decker Eckert
Citation
Nunc Pro Tume for Eckert Appeal from Criminal Clerk of Courts
the plaintiff in the above Judgment, do hereby howledge to have
recieved fill satisfaction for the same, and
hereby authorize and empowet. the Prothonotary of the Court of Common
Pleas of Lancaster Camty to enter
satisfacticm thereon and release the same.
WITNESS Li dia 2 hmd and seal the '20 day of
Stan Caterbone

39

9/25/2006 10:13 AM

June 20, 2006 Continued


Tuesday
3
COMMONWEALTH OF PENNSYLVANIA,
ss. :
A c o r n ,
Before me, the suhribet, a ndw,, ~ b \ ; c in and for said County,
personally came the abovenamed ~ i a ?nI '~ htebro rne
who in due form of law acknowleded the above Pbwer of Attorney to
release the above-stated Judgment, to be hi 5 - act and deed, to the
end that the same might
be recorded as such.
WITNESS my hand and seal the day and year above written,
No= Tbir pgsr must be rknowlcd&ad b& n falice af thv PPW. Motnly
Psblie, ar albar affias duly rwitld by
*w m tab 1 c f ~ l d ~ l 8

3:30 PM - 4:00 PM

Harleysvill PA Insurnace Dept Vonney Shutt Phone Call -- Harrisburg,PA

Kept giving me a run around and saying "why don't you send it
certified"
Told her he has all he needs for claim, will not talk or communicate
with Plum, told her to do her job, I filed complaint, not him.go
to hell

June 21, 2006


Wednesday
6:30 AM - 7:00 AM

Email to Judicial Conduct Board for Commins Hearing

amgroup01@msn.com Printed: Wednesday, June 21, 2006 6:40 AM


_____
From :
Advanced Media Group <amgroup01@msn.com>
Sent :
Wednesday, June 21, 2006 6:36 AM
To : <joseph.massa@jcbpa.org>
CC : <amgauctions@comcast.net>, "Chief Fiorill "
<FiorillJ@police.co.lancaster.pa.us>
Subject :
Complaint No. 2006-215
_____
http://gfx2.hotmail.com/i.p.attach.gifAttachment :
MDJComminsSomethingHearingjun202006.pdf
<http://by104fd.bay104.hotmail.msn.com/cgi-bin/getmsg?
&msg=C61CCE00-13C8-4BEE-AFC9-B27AC357F29E&start=0&len=1463933
&mimepart=5&curmbox=00000000%2d0000%2d0000%2d0000%2d000000000001&a=
91c684f035c549da9f063c3e905d2718eb88843cfd77b39b9e7191b779191578
&vscan=scan> (0.62 MB), VonageRecordsforJune15toJune21.pdf
<http://by104fd.bay104.hotmail.msn.com/cgi-bin/getmsg?
&msg=C61CCE00-13C8-4BEE-AFC9-B27AC357F29E&start=0&len=1463933
&mimepart=6&curmbox=00000000%2d0000%2d0000%2d0000%2d000000000001&a=
91c684f035c549da9f063c3e905d2718eb88843cfd77b39b9e7191b779191578
&vscan=scan>

9:00 AM - 10:00 AM
9:00 AM - 9:30 AM

Honda Payment Due


Paid Eckert $25.00 for citations

SRP Officer said could not get a copy of files after asking Office
Manager - wanted me to cause disturbance so could cite me with
disordorly conduct or get another 302
Stan Caterbone

40

9/25/2006 10:13 AM

June 21, 2006 Continued


Wednesday
She was abusive, kept trying to get me mad with back talk and kept
telling me it will cost me for citations, I would have to pay wether
in Bankruptcy or not.
Said will call when files are copied

11:00 AM - 11:30 AM

Public Defender Office

Get application, needed Police Complaints, will get later

11:30 AM - 12:00 PM

Visit Lancaster General Hospital

Sent to Corporate attorneys at 609 Cherry Street were not in said


will call back.

June 22, 2006


Thursday
3:00 AM - 3:30 AM

Comcast & Internet Shutt Off

Digital Cable went down.

9:00 AM - 9:30 AM

Hearing Majistrict Dist Hamilton 872-4361 -- 324 Beaver Valley Pike,Willow Street,PA 17584

COMMONWEALTH OF PENNSYLVANIA NOTICE OF CONTINUANCE


COUNTY OF LANCASTER
Mag Dist NO.
02-2-06 COMMONWEALTH OF PENNSYLVANIA
M W Name Hon
LEO H. ECKERT, JR
AddresS 841 STEHMAN ROAD
MILLERSVILLE,PA
VS.
DEFENDANT NAME and ADDRESS
Telephone (717 ) 872-4361 17551-9753
STANELY, J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
Date Flled: 4/12/06
Please note that the hearing in the above captioned case, which was
scheduled to occur on: 5/15/06
has been continued to:
If you have any questions, please contact this office immediaiely.
Date: 6/22/06
Time: 9:OO AM
Continuance requested by: MAGISGERIAL DISTRICT JUDGE
Place: DISTRICT COURT 02-3-03
324 BEAVER VALLEY PIKE
WILLOW STREET, PA 17584
If you are disabled and require assistance, please contact the
Magisterial District office at the address above.
I
COMPLAINT NUMBER: 060455C DATE PRINTED: 5/12/06 1:36:28 PM
DATE COMPLAINT SIGNED: 0/00/00
Stan Caterbone

41

9/25/2006 10:13 AM

June 22, 2006 Continued


Thursday
9:30 AM - 11:30 AM

Travel to Reading Bankruptcy Court to file brief -- Reading,PA

9:30 AM - 11:30 AM

Travel to Reading Bankruptcy Court to file brief -- Reading,PA

June 23, 2006


Friday
1:30 AM - 2:30 AM

Southern Regional & West Lampeter -- 220 Stone Hill Road

Call State Police for special services for finger print of window bar

2:30 AM - 3:00 AM

Comcast - Susan Gibson -- S. Duke Street

Said she would send repairman to fix. Said she did nothing with
account, and told repair dept to connect "Today"
Gave me Mabel Cob address for subpoena
Received call later, said it was a glitch in system.

6:00 PM - 6:30 PM

Dave Matthews Band and O.A.R. -- HERSHEYPARK Stadium

Dave Matthews Band and O.A.R.


Type of Event:
Concert
Show
Entertainment
Venue:
Hershey

HERSHEYPARK Stadium

Event Date(s):
6/23/06
Event Time(s):
7:00 PM
On-Sale Date:
4/8/06
On-Sale Time:
10:00 AM
Admission:
$56.50 reserved field - 2 Ticket Limit
$40.75 general admission field and reserved grandstands - 6 Ticket
Limit
Processing fee applies
Parking fee applicable
Event Details:
Highlights on this years trek through the States
include the bands second stand at New York Citys Randalls Island,
their annual three-night appearance at the Gorge Amphitheatre outside
of Seattle, and the bands first-ever performance at Hollywoods
famed Hollywood Bowl.
Last year, DMB spearheaded a fundraising effort highlighted by a
special appearance at Denvers famed Red Rocks, where they raised
more than $1.5 million for victims of Hurricane Katrina.
O.A.R.s brand new Everfine/Lava/Atlantic album, Stories of a
Stranger, sold more than 28,000 units in

6:00 PM - 6:30 PM

Dave Matthews Band and O.A.R. -- HERSHEYPARK Stadium

Dave Matthews Band and O.A.R.


Type of Event:
Concert
Show
Entertainment
Venue:
Hershey
Stan Caterbone

HERSHEYPARK Stadium

42

9/25/2006 10:13 AM

June 23, 2006 Continued


Friday
Event Date(s):
6/23/06
Event Time(s):
7:00 PM
On-Sale Date:
4/8/06
On-Sale Time:
10:00 AM
Admission:
$56.50 reserved field - 2 Ticket Limit
$40.75 general admission field and reserved grandstands - 6 Ticket
Limit
Processing fee applies
Parking fee applicable
Event Details:
Highlights on this years trek through the States
include the bands second stand at New York Citys Randalls Island,
their annual three-night appearance at the Gorge Amphitheatre outside
of Seattle, and the bands first-ever performance at Hollywoods
famed Hollywood Bowl.
Last year, DMB spearheaded a fundraising effort highlighted by a
special appearance at Denvers famed Red Rocks, where they raised
more than $1.5 million for victims of Hurricane Katrina.
O.A.R.s brand new Everfine/Lava/Atlantic album, Stories of a
Stranger, sold more than 28,000 units in

June 24, 2006


Saturday
All Day

PA Civil Rights Complaint Form Work in Progress

Civil Rights Enforcement


15th Floor, Strawberry Square
Harrisburg, PA 17120
(717) 787-0822
Fax: (717) 787-1190

2. IF EMPLOYMENT RELATED, WHOM IN MANAGEMENT HAVE YOU INFORMED OF


YOUR COMPLAINT?
WHAT ACTION WAS TAKEN?
3. DO YOU KNOW OF ANY OTHER INDIVIDUAL(S) WHO HAVE BEEN TREATED THE
SAME OR RECEIVED SIMILAR TREATMENT? No
WHAT HAPPENED TO THESE INDIVIDUALS?
4. DO YOU HAVE ANY WITNESSES TO VERIFY OR CONFIRM YOUR COMPLAINT? Yes
5. DID YOU SUFFER ANY MONETARY LOSS OR LOSS OF BENEFITS? PLEASE
EXPLAIN. Yes
6. PROVIDE THE DATE(S) OF INCIDENT(S):
July 2, 1987 - In an effort to continue all efforts and business
activities, Stan Caterbone visits the Office Works, owned and
operated by High Industries, to purchase a printer while staying in
Stone Harbor. FMG, Ltd., had an open account, which Stan Caterbone
authorized, as an officer of FMG, Ltd.,. The Office Works demands
cash payment and refuses to put the purchase on credit.
Stan Caterbone

43

9/25/2006 10:13 AM

June 24, 2006 Continued


Saturday
July 6, 1987 - In an e

June 26, 2006


Monday
9:00 AM - 9:30 AM

Done Eckert Payment due $25.00 Conestoga speeding & inspection citations

COMMONWEALTH OF PENPJSYLVANIA
COUNTY OF: W T t l s C
MPO Ma. NR:
02-2-06
mknec Wm.
w HI -T, JP
841 0- EUAD
H X ~PA ~ ,
ORDER IMPOSING SENTENCE
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDAM: NAME%-~AWRESS
ST- J.
220 BTmm HILL POlrD -, PA 17516
- YOU fHA* , y o u *
rice pummm Pa,
you to the following:
i
Sentenced to Fines, Costs, a& Restitution
You are hereby order8cl to make payment to thib court on
You are Mnby ordered to make an init'ilgyment to this court h the
amount oi $ - on-Refer to the Magisterial DWkt Judge Payment Order for additional
payment
&dub information. You are hereby ordered to make an initial payment of $
due on or before + Thereafter. a minimum payment of $
shall be made to this court with a final payment on
Refer to the Magisterial District Judge Payment Order for additional
payment schedule information.
Alternate Sentendlntemediate Puni-s hment 4 * + : *,--.---- .----.:
to commence on and conelude on
Sentenced to Imprisonment

June 27, 2006


Tuesday
9:30 AM - 10:00 AM

MDJ Ballentine Request for Proposal

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF LANCASTER
REQUEST FOR SUBPOENA
Magisterial District Justice No.:

0 2 - 2 - 0 1

Kelly S. Ballentine, Esq


123 Locust St-Rear
Lancaster, Pa
Stan Caterbone

44

9/25/2006 10:13 AM

June 27, 2006 Continued


Tuesday
717-299-7974
717-299-8375 Fax
Request For Subpoena
Caterbone, Stanley, J.
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184
Vs.
Defendant:
Comcast Cable
1113 South Duke St
Lancaster, Pa 17602
Date Filed: 06/27/2006
Re: Stanley J. Caterbone
Vs: Comcast Cable And Susan Gibson
Docket No. Cv-160-06
Subpoena Name And Address:

Mabel Cob
Bankruptcy Department
New Castle Call Center
4008 North DuPont Hwy
New Castle, De
19720
302-661-8228

IN FORMA PAUPERIS

1. I am the plaintiff in the above matter and because of my financial


condition am unable to pay the fees and costs of prosecuting or
defending the action or proceeding.
2. I am unable to obtain funds from anyone, including my family and
associates, to pay the costs Lit

10:00 AM - 10:30 AM

PA Civil Rights Nelson Brewster Atty Investigator

Civil Rights Enforcement


15th Floor, Strawberry Square
Harrisburg, PA 17120
(717) 787-0822
Fax: (717) 787-1190

2. IF EMPLOYMENT RELATED, WHOM IN MANAGEMENT HAVE YOU INFORMED OF


YOUR COMPLAINT?
WHAT ACTION WAS TAKEN?
3. DO YOU KNOW OF ANY OTHER INDIVIDUAL(S) WHO HAVE BEEN TREATED THE
SAME OR RECEIVED SIMILAR TREATMENT? No

Stan Caterbone

45

9/25/2006 10:13 AM

June 27, 2006 Continued


Tuesday
WHAT HAPPENED TO THESE INDIVIDUALS?
4. DO YOU HAVE ANY WITNESSES TO VERIFY OR CONFIRM YOUR COMPLAINT? Yes
5. DID YOU SUFFER ANY MONETARY LOSS OR LOSS OF BENEFITS? PLEASE
EXPLAIN. Yes
6. PROVIDE THE DATE(S) OF INCIDENT(S):
July 2, 1987 - In an effort to continue all efforts and business
activities, Stan Caterbone visits the Office Works, owned and
operated by High Industries, to purchase a printer while staying in
Stone Harbor. FMG, Ltd., had an open account, which Stan Caterbone
authorized, as an officer of FMG, Ltd.,. The Office Works demands
cash payment and refuses to put the purchase on credit.
July 6, 1987 - In an e

June 28, 2006


Wednesday
10:30 AM - 11:00 AM

Civil Rights Enforcement Complaint Finished

Civil Rights Enforcement


15th Floor, Strawberry Square
Harrisburg, PA 17120
(717) 787-0822
Fax: (717) 787-1190

2. IF EMPLOYMENT RELATED, WHOM IN MANAGEMENT HAVE YOU INFORMED OF


YOUR COMPLAINT?
DAVID PFLUMM; PFLUMM CONTRACTORS, INC., FEBRUARY OF 1998
WHAT ACTION WAS TAKEN?
NONE
3. DO YOU KNOW OF ANY OTHER INDIVIDUAL (S) WHO HAS BEEN TREATED THE
SAME OR RECEIVED SIMILAR TREATMENT?
NO
WHAT HAPPENED TO THESE INDIVIDUALS?
4. DO YOU HAVE ANY WITNESSES TO VERIFY OR CONFIRM YOUR COMPLAINT?
YES
5. DID YOU SUFFER ANY MONETARY LOSS OR LOSS OF BENEFITS? PLEASE
EXPLAIN
YES
VARIOUS BUSINESS INTERESTS
1.
FINANCIAL MANAGEMENT GROUP,LTD., AND ALL RELATED OPPORTUNITIES
1987
a.
FMG ADVISORY,LTD. REGISTERED INVESTMENT ADVISOR
b.
FINANCIAL MANAGEMENT GROUP,LTD., STOCK AND
OPTIONS AND FRANCHISING OPPORTUNITIES
c.
MORTGAGE BANKING OPERATIONS
d.
VENTURE CAPITAL OPPORTUNITIES
Stan Caterbone

46

9/25/2006 10:13 AM

June 28, 2006 Continued


Wednesday
2.

2:00 PM - 2:30 PM

e.
AVIATION CHARTER BUSINESS AND OPPORTUNITIES
POWER PRODUCTIONS

Hearing District Maj Smith - HIA Parking -- 1281 South 28th Street,Harrisburg,PA 17111

I COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: DAUPHIN
Mag Dist. No
12-2-01
MDJ Name Hon.
MICHAEL J. SMITH
1281 S 28TE ST
HARRISBURG, PA
STAN CATERBONE
220 STONE HILL RD.
COElESTOGA, PA 17516
1 I
NOTICE OF CONTINUANCE
Telephone (717 ) 558-1160 17111
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT: NAME AND ADDRESS
CATERBONE, STAN
220 STONE HILL ROAD
CONESTOGA, PA 17516
Date Filed: 4/24/06
Please note that the hearing in the above captioned case, which was
scheduled to occur on: 6/14/06
has been continued to: June 28th, 2006
2:15 PM
If you have any questions, please contact thls offlce immediatley
Cont~nuancere quested by BURNS, STEVEN G.
If you are disabled and require assistance, please contact the
Magisterial District office at the address above.
5/15/06 Date
My commission expires first Monday of January
CITATION NUMBER: B1270724-0
DATE PRINTED:
05/15/06
9:37:30
AM
DATE CITATION ISSUED: 4/24/06
_________________________________________

June 29, 2006


Thursday
1:00 PM - 1:30 PM

Judicial Complaint Revue Board Letter via mail

Commonwealth of Pennsylvania
Judicial Conduct Review Board
Pennsylvania Place
501 East Chestnut Street
Suite 403
Harrisburg, PA
17101
717-234-7911

Stan Caterbone

47

9/25/2006 10:13 AM

June 29, 2006 Continued


Thursday
June 29,2006
Stanley Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Dear Mr. Caterbone:
This letter will acknowledge receipt of your corrvndence dated June
27,2006, wherein you inquire about your recently filed complaints.
Specifically, you advise "I have no idea which complaint number is
assigned to what complaint" and request
clarification. The following list represents your recently filed
pending complaints:
2006-2 14 (MDJ William G. Reuter)
2006-2 1 5 (MDJ B. Denise Commins)
2006-220 (MDJ Lm H. Eckert, Jr.)
2006-221 (MDJ Stuart J. Mylh)
a 2006-222 (MDJ Maynard A. Hamilton, Jr.)
2006-224 (Judge David Reineker)
I trust this cIarifies any confusion mated by our previous
correspondence with regard to each individual complaint number
assignment.
I remind you the Pennsylvania Constitution provides

June 30, 2006


Friday
1:00 PM - 1:30 PM

Lancaster Co Prison Dismissal Order Appel & Yost

HARRY 8. YOST
JAMES W. APPEL
JOHN L. SAMPSON
KENNETH H. HOWARD
WILLIAM A. WHEATLY
WILLIAM J. CASSIDY, J R .
MAlTHEW G. GUNTHARP
ELAINE G. UGOLNIK
ROBERT W. HALLINGER PETER 8. ASTORINO
ERAOLEYA. ZUKE
RETIRED
T. ROBERTS APPEL. I1
GRETA R. AUL
OF COUNSEL
J. MARLIN SHREINER
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 175 16
LAW OFFICES
THIRlY-THREE NORTH DUKE STREET
LANCASTER. PENNSYLVANIA 17602
(7171 384-0521
FAX(717)431-1664
(emmi0 DonruO@appeIyost.com
June 30,2006
Stone Harbor Police Department
9508 Second Avenue
Stone Harbor, NY 08247
Stan Caterbone

48

9/25/2006 10:13 AM

June 30, 2006 Continued


Friday
ROBERTS R. APPEL 11832-1986)
RALPH W. EBY. JR. (1841-1886)
MERRILL L. HASSEL 11941-1972)
OFFICE AT NEW HOLLAND. PA
142 EAST MAIN STREET
(71 71 354-a1 17
OFFICE AT STRASSURQ. PA
39 EAST MAlN STREET
(7171 687-7071
OFFICE AT QUARRYYaLE.PA
175 OAKBOTTOM RD
(717) 788-31 72
OFF ICE AT EPHRATA. PA
123 EAST MAlN STREET
(7171 733-2104
OFFICE AT CHRISTIANA, PA
4 SADSBURY AVENUE
(810) 593-6740
Patricia J. Bax

July 02, 2006


Sunday
1:00 PM - 8:00 PM

Blondie and Cars Clipper -- Clipper Stadium

July 03, 2006


Monday
1:00 PM - 1:30 PM

Judge Mary McLaughlin Order to Lancaster Co Prison

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE 30 CIVIL ACTION
v.
LANCASTER COUNTY PRISON, et al. : NO. 05-2288
AND NOW, this 36fh of Tune, 2r06, upon consideration of the motion to
dismiss of Lancaster County Prison (Doc. No. 32).
whereas the Court dismissed the complaint as to Lancaster County
Prison on June 12, 2006, and whereas the plaintiff has not filed an
amended complaint, IT IS HEREBY ORDERED that the motion is DENIED as
MOOT.
BY THE COURT:
MARY -A. MCLAUGHLIN, J?

1:00 PM - 1:30 PM

PP&L Shut-Off Notice

July 05, 2006


Wednesday
9:30 AM - 10:00 AM

Hearing Dist Justice M Hamilton 464-4141 -- 324 Beaver Valley Pike, Willow Street,PA 17584

Fiorril lied about waving hands, giving him the finger, with both
hands on wheel, was taking picture, about tailing him 1 to 2 feet
going 45 mph for 1/2 to 3/4 miles, said happened after Amish Store.
Said I said " Go Fuck Yourself".
Judge never questioned Fiorell, just asked why he would lie, I said
because of Law Suits. Questioned why no finger printing, Judge
questioned me about someone stealing picture from computer of Fiorril
Stan Caterbone

49

9/25/2006 10:13 AM

July 05, 2006 Continued


Wednesday
during incident. Questioned me about mattress on Fiorrel roof of
car. Fiorill kept staring at me for long periods of time when I was
on the witness stand, was only 4 feet from me, trying to intimidate
me.
Judge was arrogant and would not listen to a word I said, kept trying
to rush my testimony, and kept trying to intimidate me by supporting
Fiorril. Told him Police Officers can lie to.
_____________________________________________________________________
_________________________________
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE:

9:30 AM - 10:00 AM

Hearing DJ Hamilton Busser -- 324 Beaver Valley Pike, Willow Street,PA 17584

Arrived 8:50 am, did not have a file. Matt Bomberger was already in
office behind the glass window with Hamilton's staff. Asked
Bomberger what his defense was, and told me to go outside, asked him
why he would not meet with me, he said he was out of office Friday
and Monday, and said about wanting to go over the file in the
meeting, reminded him about having the brief due, and that I was not
informed this hearing was on the schedule. I notified staff I had to
go home, walked outside and Busser pulled up, Bomberger said wait the
officer is here, I said I don't care, he said my defense is "you
didn't know what you were doing", I said you better find a better
defense than that.
Got back Officer Eisenhower of West Lampeter told me he had to frisk
me for weapons at the request of the Judge, and frisked me and
emptied my pockets right outside of the courtroom; and Judge
immediately started Hearing, Fired Bomberger because of inadequate
defense, Judge asked about if I knew of ramificati

11:00 AM - 11:30 AM

Call for Chapter 11 Hearing Transcript

July 06, 2006


Thursday
8:00 PM - 8:30 PM

Lancaster County Public Defender Letter to

Stan J. Caterbone
Advanced Media Group
220 Stone Hill Road
Conestoga, PA
17516
July 6, 2006
James J. Karl
Chief Public Defender
Lancaster County Commissioners
Office Of The Public Defender
28 East King Street
Second Floor. Suite 213
Po Box 83480
Lancaster. Pa 17608.3480
Re: Commonwealth v. Stanley Caterbone; OTN # K391399-1
Dear Mr. Karl:
On Wednesday, July 5, 2006 I had to dismiss your Assistant Public
Defender Mr. Matt Bomberger prior to the start of the Preliminary
Stan Caterbone

50

9/25/2006 10:13 AM

July 06, 2006 Continued


Thursday
Hearing scheduled before Magisterial District Judge Maynard Hamilton.
I had asked Mr. Bomberger prior to the start of the Hearing what was
he going to use for my defense, and he replied; You did not know
what you were doing. I asked him to rethink his strategy and come
up with another plan. He refused. He had violated his professional
code of ethics and your mandated authorization to provide me with a
competent legal defense.
I had requested meeting with Mr. Bomberger on numer

July 09, 2006


Sunday
7:30 PM - 8:00 PM

LadyBalcksmith

July 10, 2006


Monday
12:00 AM - 12:30 AM

MDJ Commins East Lampeter Appeal Due

9:00 AM - 10:00 AM

Honda Grace Period Payment Due

1:00 PM - 1:30 PM

Letter from Public Defender

COUNTY COMMISSIONERS
DICK SHELLENBERGER, Chairman
HOWARD "PETE SHAUB
MOLLY S. HENDERSON
COUNTY
OFFICE OF THE PUBLIC DEFENDER
29 EAST KING STREET
SECOND FLOOR, SUITE 213
PO BOX 83480
LANCASTER, PA 17608-3480
TELEPHONE 717-299-8131
JAMES J. KARL
Chief Public Defender
July 10, 2006
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Re: status of Public Defender representation in your 2 pending cases
Dear Mr. Caterbone:
You have 2 sets of criminal charges pending against you. First, there
are charges that were filed by the East Lampeter Township Police
Department. The charges included harassment, disorderly conduct, and
theft of services. You represented yourself at the preliminary
hearing before Judge Commins. The judge determined that there was a
prima facie case and bound over the charges to the Court of Common
Pleas. They are docketed to Information No. 2843-2006. The next court
proceeding is Arraignment on July 26, 2006, at 9:00 A.M. in Courtroom
A of

Stan Caterbone

51

9/25/2006 10:13 AM

July 11, 2006


Tuesday
9:00 AM - 9:30 AM

Hotelliers Horst & Fairfiled File Suit

2 area hotels file lawsuit over room tax


Targets downtown project
BY P.J. REILLY, Intelligencer Journal Staff
The owners of two Lancaster County hotels on Tuesday filed a lawsuit
claiming the county's hotel room tax is unconstitutional. Horst
Hotels Co., owner of Fairfield Inn by Marriott in Manheim Township,
and Ephrata Motel
Partners, owner of Holiday Inn in Denver, filed the suit in Lancaster
County Court. Named as defendants are the
Redevelopment Authority of City of Lancaster, Lancaster County
Convention Center Authority and Penn Square
Partners. Those three entities are behind plans to build a 300-room
Marriott Hotel and 220,000-square-foot convention center at the site
of the former Watt & Shand department store on Penn Square. Lancaster
County also is named as a defendant. The lawsuit asks that the 1999
county ordinance that established the tax be declared
unconstitutional. It also seeks a permanent injunction preventing the
county from enforcing the ordinance and asks t

6:00 PM - 6:30 PM

Website Hacked - Cannot Edit Site & Statistics Corrupted

Day

Hits
Files
Pages
Visits
Sites
KBytes
_____________________________________________________________________
______________________________
5
3 0. 03%
3 0
.04% 0
0.00%
0 0.0 0%
1
0.57%
19 0 .03%
6
0 0
.00%
0 0
.00% 0 0
.00%
0 0
.00%
0
0.00% 0 0 .00%
7
981 8 .31%
605
7.28% 138
19.80%
22
13.92% 251
4.29%
3759 6.20%
8
1191 10.0%
907
10.92%
120 17.22%
20
12.66% 21
12.00%
4889 8.06%
9
1544 13.08%
1372 16.51% 118
16.93%
45
28.48% 61
34.86%
4260 7.02%
10
5988
50.72%
3790 45.61% 184
26.40%
26
1
6.46% 31
17.71%
38389 63.27%
11
2093 17.73%
1627 19.58% 134
19.23%
42
26.58% 56
32.00%
9316
15.35%
12
7 0
.06%
5
0.06%
3 0
.43% 3
1
.90% 6
3.43%
46
0.08%

July 12, 2006


Wednesday
6:00 AM - 6:30 AM

Website Hacked - Locked Out

From :
<support@sitewebmasters.com>
Sent :
Wednesday, July 12, 2006 1:52 PM
To : amgroup01@msn.com
Subject :
Reply: Site Builder #741810
_____

======== CUT HERE =========


Your support request was answered:
Created: Jul 12, 2006 10:41:58 AM
Last Mod: Jul 12, 2006 10:48:42 AM
Stan Caterbone

52

9/25/2006 10:13 AM

July 12, 2006 Continued


Wednesday
Assigned To:
SiteWebMastersAdmin(Site WebMasters Main Account)
[Jul 12, 2006 10:52:48 AM]
A: It should be working now.

Please try again.

Thank you,
Blair Williams
------------------------------------------------------[Jul 12, 2006 10:41:58 AM]
Q: Locked out of site builder, said if using a Host, Contact Host.
Cannot Edit
Site.
------------------------------------------------------Thank you,
Blair Williams
SiteWebmasters - Tech Support
blair@sitewebmasters.com <http://by104fd.bay104.hotmail.msn.com/cgibin/compose?curmbox=9DB6E842-7C9B-474C-96A8-3BD12D6DC0EE&a=
91c684f035c549da9f063c3e905d2718523e00bd6df932c5190d148fb20211b0
&mailto=1&to=blair@sitewebm

8:00 AM - 8:30 AM
11:30 AM - 12:00 PM

Sheryl Today Show New York


Meeting - Lancaster Country Detective Landis - Hackers

Gave card to receptionsist, told her to tell him he needs specialist


for Hackers, per preveious complaint.
Convention Center Hearing waiting line of 12.

July 13, 2006


Thursday
All Day

Appeal PENN DOT Drivers License Suspension -- Lancaster County Courthouse, 50 N. Duke Street,
Lancaster, PA 17602

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
COUNTY OF LANCASTER
CRIMINAL DIVISION

COMMONWEALTH OF
PENNSYLVANIA:
001

WID 061879283707004
WID 061879283707016

001
CIVIL DIVISION
Vs.
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
Stan Caterbone

53

9/25/2006 10:13 AM

July 13, 2006 Continued


Thursday
717-430-8184

NOTICE OF APPEAL
On this day of July 13, 2006, the Plaintiff, Stanly J.
Caterbone, in the above Notice of Suspensions filed on mail date July
13, 2006 by the Commonwealth of Pennsylvania, Department of
Transportation, Bureau of Driver Licensing, is herby appealing this
decision in the Court of Common Pleas.
The Plaintiff will appeal this decision based on allegations of
retaliatory, political discrimination, and prosecutorial misconduct.
A Brief will be filed as soon as required by the Courts. Federal
Civil Actions 05-2288 and 06-1538 in the United States District Court
for the Eastern District of Pennsylvania, are taking precedent.
The Defendant will als

3:00 AM - 3:30 AM

Citzens Bank Extortion

amgroup01@msn.com Printed: Friday, July 14, 2006 8:08 AM


From :
Advanced Media Group <amgroup01@msn.com>
Sent :
Friday, July 14, 2006 4:41 AM
To : "Bargain Land " <shipping@bargainland.net>,
<danielberger@comcast.net>, "endofauction" <endofauction@ebay.com>,
"GGordon" <GGordon@fult.com>, "High Group" <nfo@high.net>, "Lancaster
County Commissioners " <McCueA@co.lancaster.pa.us>, "Lancaster
Intell" <IntellLetters@lnpnews.com>, "Lancaster New Era"
<neweraLetters@lnpnews.com>, "Mike Caterbone " <mtciidd@aol.com>,
"Owen Kugel " <owenrkugel@juno.com>, "Patrice Dixon "
<HSDuncan@juno.com>, "Patrick Snyder " <psnyder@uncb.com>, "Pete Horn
" <Rhino1818@aol.com>, "Phil " <caterbone@sbcglobal.net>, "Phyllis
Crews " <Phyllis.Crews@richardson.k12.tx.us>, "Ray Sawiski "
<rsawicki@decommunications.com>, "Stan Caterbone "
<amgauctions@comcast.net>, "Sunday Newspapers" <sunnews@lnpnews.com>
Subject :
Lancaster County Banks
Attachment :
AMGWelcomePageforjuly1420.pdf (0.08 MB)
The following

10:00 AM - 10:30 AM

Harleysville Insurance Inspection 220 Stone Hill Road -- Conestoga, PA 17516

See audio tape, went through and took pictures and note for
everything on list, added glasses, chain saw, wireless headset, itc.
McShea Associates, Inc.,
Insurance Adjusters
Suite 2A11
47 Marchwood Road
Exton, PA
19431
717-299-9395
610-524-9393
610-524-2413 fax

1:00 PM - 1:30 PM

MDJ Hamilton Firorill Appeal -- 50 N. Duke St, Lancaster, PA 17602

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
Stan Caterbone

54

9/25/2006 10:13 AM

July 13, 2006 Continued


Thursday
COUNTY OF LANCASTER
CRIMINAL DIVISION

COMMONWEALTH OF
PENNSYLVANIA:

TR-0001010-06
TR-0001011-06
CRIMINAL DIVISION

Vs.
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
717-430-8184

NOTICE OF APPEAL
On this day of July 13, 2006, the Defendant, Stanly J.
Caterbone in the above criminal cases is hereby filing an Appeal by
Trial De Novo in the Court of Common Pleas. The Defendant alleges
that prosecutorial misconduct, discrimination, and obstruction of due
process were committed.
The Defendant will also request that this case be in Forma
Pauperis.

Dated:
July 13, 2006
____________________________
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA
17516
717-431-8184

COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
LANCASTER COUNTY

CERTIFICATE OF SERVICE

Stanley J. Caterbone
Represented

Stan Caterbone

55

9/25/2006 10:13 AM

July 14, 2006


Friday
9:00 AM - 9:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

6:00 PM - 9:00 PM

Ashlee Simpson -- Hershey

9:30 PM - 10:00 PM

Sheryl at Trumps in Atlantic City -- Antlantic City, New Jersey

July 15, 2006


Saturday
All Day

Stan Caterbone

Stan Caterbone's Birthday

56

9/25/2006 10:13 AM

July 16, 2006


Sunday
6:00 PM - 6:30 PM

Lynard Skynad & 3 Doors Down -- Hershey

July 17, 2006


Monday
9:00 PM - 9:30 PM

Sheryl on Larry King LIVE

July 19, 2006


Wednesday
9:00 AM - 9:30 AM

JOSEPH S. SOLOMON 1705 I@ FRONT ST HARISBURG. PA17102 255-1365

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: DAUPHIN
Map. DISI. No:
12-1-03
MDJ Name Hon
JOSEPH 8. SOLOMON
Add'ess 1705 I@ FRONT ST
HAIU(1SBURG. PA
STAH CATERBOME
220 STOME HILL 9.D
CONESTOGA, PA 17516
NOTICE OF TRIAL
SUMMARY CASE
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT. NAME and ADDRESS
TCATEBBONE, STAH 1
220 STONE HILL 9.D
CONESTOGA, PA 17516
L _I
Docket No.: TR-0005057-06
7Date Filed: 6/16/06
I I
This court has received your plea of NOT GUILTY to the above summary
violation(s). The sum of $ .OO has been accepted as collateral for
your appearance at trial Your trial has been scheduled as follows:
I1 II I(
You have the right to be represented by an attorney. You have the
right to have any witnesses present. It is your responsibility to
notify your attorney andlor witnesses of this trial date and time.
Date. 7/19/06
Time: 9:00 AM
Should you fail to appear for your trial, a warrant may be issued for
your arrest
Place: DISTRICT COURT 12-1-03
1705 N FRONT ST

July 20, 2006


Thursday
10:00 AM - 10:30 AM

MDJ Banllentine Comcast Civil Action -- 123 Locust Street,Lancaster,PA 17602 299-7974

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF LAMCASTER -Mag DlSt NO .02-2-01
MDJ Name Hon KELLY S. BALLENTINE,ESQ
123 LOCUST ST-REAR
LANCASTER, PA 17602
Stan Caterbone

57

9/25/2006 10:13 AM

July 20, 2006 Continued


Thursday
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
NOTICE OF CONTINUANCE
PLAINTIFF NAME and ADRESS
'CATERBONE, STANLEY J
220 STONE HIL ROAD
CONESTOGA, PA 17516
VS.
DEFENDANT NAME and ADDRESS
COMCAST CABLE, ET AL
Docket No.: CV-0000160-06
Date Filed: 4/27/06
Please note that the hearing in the above captioned case, wfli~hw as
scheduled to occur on: 6/15/06
has been continued to:
If you have any questions, please contact this office immediately.
Date 7 / 2 0 / 0 6 place DISTRICT COURT 0 2 - 2 - 0 1
Continuance requested by: COMCAST CABLE
TIme 10:OO AM
If you are disabled and require assistance, please contact the
Magisterial District office at the address above.
6 / 2 0 / 0 6 Date
My commission expires first Monday of January 2012
DATE PRINTED: 6/20/06 8:51:57 AM

July 21, 2006


Friday
9:00 AM - 10:00 AM

Honda Payment Due

July 23, 2006


Sunday
7:30 AM - 8:00 AM

Fox and Friends Post Truamatic Stress Syndrom with Dr...

July 24, 2006


Monday
All Day

Federal 05-2288 Fulton Bank Response Due

July 25, 2006


Tuesday
1:00 PM - 2:00 PM

PPL Electric Shut-Off -- 220 Stone Hill Road

1:00 PM - 1:30 PM

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION
Stan Caterbone

58

9/25/2006 10:13 AM

July 25, 2006 Continued


Tuesday

Stanley J. Caterbone
Advanced Media Group
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania
:
V.

:
:
:

PPL Electric Utilities


2 North 9th Street
Allentown, PA18101

STATE OF PENNSYLVANIA

:
:

COUNTY OF LANCASTER

: ss

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

COMPLAINT AND NOTICE FOR EXPEDITED HEARING


1.
On or about July 25, 2006, Plaintiff had the electrical service provided by the
Defendant shut-off.
2.
The termination of the Plaintiffs electrical service left the Plaintiff without electrical
service, phone service and Internet broadband service. All of the services are powered by
and require electricity from the Defendant.
3.
On or about April 25th, 2006, the Plaintiff had a meeting in the office of LIHEAP, an
affiliate of the Lancaster County Community Action Program with Ms. Floyd, a case worker.
During that meeting, a representative from PPL Electric Utilities accepted a payment of
$600.00 from LIHEAP and spoke to Plaintiff regarding future payments.
4.
The Plaintiff faxed documentation pertaining to the Chapter 11 Bankruptcy petition,
case no. 05-23059, for verification of the Plaintiffs bankruptcy petition.
5.
The Defendant accepted the documentation and did not make any request for a
payment plan in order to continue electrical service to the Plaintiff, with the understanding that
the Chapter 11 is a reorganization, and the Defendant would ultimately be paid in full.
6.
On or about July 3rd, 2006, the Plaintiff received another 10 Day Shut-Off Notice from
the Defendant.
7.
On or about July 14, 2006, the Plaintiff communicated via facsimile to the Bankruptcy
Department of PPL Electric (484-634-3713) requesting an explanation of why the Shut-Off
Notice was sent.
8.
On or about the week of July 17th, 2006, the Defendant notified Ms. Floyd of the
situation and requested her intervention via email.
9.
The Derendant had a representative call the Plaintiff from the Collections department
and left a message on the Defendants Vonage Internet Voicemail Account.
Stan Caterbone

59

9/25/2006 10:13 AM

July 25, 2006 Continued


Tuesday
10.
The Plaintiff returned the call a few days later to remind the Defendant of the
negotiation and agreement on April 25th, 2006
11.
The representative of the Defendant would adhere to the previous agreement and
notified the Plaintiff that she did not know anything about the previous agreement, nor would
she research the validity of the previous agreement.
12.
The representative demanded that the account be paid in full, and did not entertain
any other plans for payment, which in itself violated the terms and conditions of the Notice To
Shut-Off Service.
13.
The Plaintiff is now without electricity and is further stalled from continuing all litigation
before the Commonwealth of Pennsylvania Common Pleas Court, the United States District
Court of the Eastern District of Pennsylvania, and the United States Bankruptcy Court for the
Eastern District of Pennsylvania.
14.
The Plaintiff is also at further risk to his person, property, and all assets located at 220
Stone Hill Road, due to the fact that the Plaintiff has no emergency phone service.
15.

Dated: July 25, 2006

__________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax

COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
LANCASTER COUNTY

CERTIFICATE OF SERVICE

Stanley J. Caterbone represented by Stanley J. Caterbone


220 Stone Hill Road PRO SE
Conestoga, PA 19516
Schedule F
Addendum to Add Creditors to Schedule
Service To:
Comcast Cable
Stan Caterbone

60

9/25/2006 10:13 AM

July 25, 2006 Continued


Tuesday
4008 N. Dupont Hwy
New Castle, DE 19720
Comcast Cable
Susan Gibson
1113 South Duke Street
Lancaster, PA 17602

Certificates of Service were sent by United States 1st Class Mail on July 25, 2006.
By, ________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax

July 26, 2006


Wednesday
9:00 AM - 9:30 AM

MDJ Comins East Lampeter Preliminary Hearing -- Lancaster County Courthouse

Another Calender Change by Hackers

July 27, 2006


Thursday
9:00 AM - 10:00 AM

PPL Civil Action Filed -- Lancaster County Courthouse

July 28, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
Stan Caterbone

61

9/25/2006 10:13 AM

July 28, 2006 Continued


Friday
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

9:00 AM - 9:30 AM
10:00 AM - 11:00 AM

MDJ Solomon Warrant of Arrest Fine Indegent Due


Filed Informa Pauperis for Southern Regional Police Appeal

to Superior Court

10:00 AM - 11:00 AM

Refiled Fulton Mortgage Judgement to Superior Court -- Lancaster County Courthouse

July 31, 2006


Monday
1:00 PM - 2:00 PM

Emailed Jen from Tees Computer was hacked

August 01, 2006


Tuesday
9:00 AM - 10:00 AM

File East Lampeter Appeal Documents

10:00 AM - 11:00 AM

File Harleysville Civil Action

August 03, 2006


Thursday
8:00 PM - 9:00 PM

Barnstormers Game

Talke to Dick Shellenberger about Convention Center and Brunswick, he


said about Marylinn doing Watt and Shand and Meetina and Conference
Center at Brunswick, told hme about Intellectual property rights.

Stan Caterbone

62

9/25/2006 10:13 AM

August 03, 2006 Continued


Thursday
10:00 PM - 11:00 PM

Alley Kat Bar -- 28 W Lemon Street, Lancaster,PA 17603

Sheryl Look alike (Andrea-Allisa-? tall), Wickenheiser,Dino D. Jimmy,


Al Mongeou,McCaskey '84,

August 04, 2006


Friday
1:30 AM - 2:30 AM

Southern Regional Police -- Pine View Dairies

Notice car tailing me on New Danville Pike, put left turn signal on
to pull into Pine View Dairies, Police Lights went on after I started
to pull into parking lot. got out of car and put my hands in air and
said "take me in", they ordered me back into the van, and I locked
all doors. They wanted my drivers license, I said call the State
Police. Would not let them in, eventually busted out passenger side
window. Opened my door,and threw me to ground, handcuffed me and
emptied pockets. Kept asking why the pulled me over after I turned
into parking lot, would not respond. Put me into cruiser and let me
sit for about 20 or 30 minutes. Present was cramer, west lampeter
Eisenhowser, and two others. said my van would be towed, and took me
to SRPD presinct. gave me breathelyzer, passed .076 and .073. Went
through a bunch of bullshit, gave me a tape of my breathelyzer and
said I would get something in the mail. took me home to 220 stone
hill.

8:00 AM - 9:00 AM

Custom Classics` -- Stone Hill Road

Said no van, did not recieve any call from SRPD.

8:15 AM - 9:15 AM

Pine View Dairies -- New Danville pike

No van.

8:30 AM - 9:30 AM

Soutern Regional Police Department -- Conestoga

Busser said they called Custom Classics and van was there, I said he
was lying, and he went inot his you better settle down mode, I walked
out and said I was goint to the Lancaster County DA Office.

9:00 AM - 10:00 AM

Prothonetaries Office -- Lancaster County Courthouse

Asked for copies of all files from past 10 days.

9:15 AM - 10:15 AM

Sue, short hair.

Conngerssman Joe Pitts Office -- Lancaster County Courthouse

Requested meeting with receptionist, said about DOD and CIA, as for
Federal Agencies, and told her to mail me the meeting schedule.

10:00 AM - 11:00 AM

District Justice Commins Office -- Leola

Asked if I had a Meeting, gave me a schedule for August 15

10:00 AM - 11:00 AM

Lancaster County Commissioners Office -- Lancaster County Courthouse

Scheduled meeting with Dick Shellenberger with secretary, she said


should be free in about 20 minutes, I said I would stop back

Stan Caterbone

63

9/25/2006 10:13 AM

August 04, 2006 Continued


Friday
11:00 AM - 12:00 PM

District Justice Simms -- Walnut and Queen Strteets

Asked if I had a Hearing, said today at 3:00 for Lancaster City


Police Littering citation

August 08, 2006


Tuesday
1:30 PM - 2:15 PM

Jucicial Conduct Review Board -- Pennsylvania Place, Harrisburg, PA

Filed agianst Georgelis for Sothern Regional Informa Pauperis,


Hearing, taking case from Madenspacher, Dening without reason,
vacating denying and then granting appropval.

August 09, 2006


Wednesday
9:00 AM - 10:00 AM

IFP Hearing -- Lancaster County Courthouse

Sherrif would not let me sit at table, showed me a memo that said all
Pro Se Litigants were not allowed to approach tables untile Judge
enters courtroom, then changed mind. A man sat at opposite table,
and i asked who he was and he said he was Shawn Long, rep Fulton
Bank, and I asked what he was doing there, he said he was the
Plaintiff, I asked what proceeding this was, Sherrifs gave me a
bunch of shit, I gathered my laptop and files and walked out before
Judge entered and started whatever it was. Before exiting, I told
Sherrif I filed yesteday at the Judicial Conduct Bard.

August 10, 2006


Thursday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

August 11, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
Stan Caterbone

64

9/25/2006 10:13 AM

August 11, 2006 Continued


Friday
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

1:00 PM - 2:00 PM

Mike Sturla -- Outside Soverign on Duke Street

wanted meeting, said he was going on vacation next week.

August 14, 2006


Monday
5:00 PM - 5:30 PM
8:00 PM - 9:00 PM

Southern Regional Police Suit Amended Complaint Due


Lancaster Convention Authority Public Meeting -- Chamber of Commerce Building, Lancaster

Saw Chalie Smithgall going in, would not say much of anything, very
hostile. Talked to Kurt LydellL.....Irex, asked if he rented from
Dad, was very evassive, wou33 not say no, could not remember; talked
to Ted Darcus about Leonard B., and Big Five game, would not make a
commitment on Convention Center, said he would call me, gave card.
Talked to Jack Buchwalter and Caroline Steinman, asked about Paula's
Health, said could not remember who she was or if she ever worked at
LNP, Caroline daughter kept interupting; told Jack we need to meet
re: Fed 05-2288 and said I was going to amend and might add to civil
action, he told me to call him.
Mike Sturla, he scheduled meeting with me for 12:30 next day.
him last week he said was going on vacation all week.

told

August 15, 2006


Tuesday
12:30 PM - 1:30 PM

Meeting with Mike Sturla -- Griest Building, Lancaster Square

Receptionist was not very nice, very smart, said she grew up with
some Caterbone, knew Tut Arcudi, asked to sign petition, said she
would not, said other ways to change, did not think any changes need
to be done, Kept calling Mike, meeting was scheduled on her computer
for time.
Mike - talked about painting, his construction company, downtown,
Stan Caterbone

65

9/25/2006 10:13 AM

August 15, 2006 Continued


Tuesday
Academy of Music project; money for project, said it was closer, but
would not give firm commitment if project is a go; gave him my appeal
for Southern Regional Police and asked for some help, said he would.

2:00 PM - 3:00 PM

Nevin Cooley -- Walking Downtown on South Queen, at Griest

SAid working on project, and said it was closer.

Was in a rush.

August 16, 2006


Wednesday
8:00 AM - 9:00 AM

Gib Armstrong Office -- 144 Christian Street

Requested meeting, gave a copy of SRPD appeal to Superior Court,


talked to Bob Thompson for about 1/2 about Convention Center and
Media, secretary gave me a hard time about owner of Brunswick, and I
walked out, she said he was.......

11:00 AM - 12:00 PM

Got Notice at 11:15 for 11:00 Emergency PP& L Hearing -- Reading, PA

Recieved Notice from Judge Fehling for emergency Hearing for today,
in my mailbox at 11:15 when Hearing was for same day, Aug 16 2006.
Either Conestoga Post Office held the Notice, or Clerks mailed the
Notice late!

11:30 AM - 12:30 PM

Message ForAtty Gen Gonzales to Secret Service -- Host Farm Resort

Gave card to Bush Secret Service and told the to tell Atty General
Gonzales to call regarding Fed False Claims Act, ISC Whitleblowing
outside Host .
Told East Lampeter Policman to send all evidence to DA.

1:30 PM - 2:30 PM

Requested Meeting with Arlen Sepctor Office -- Fed Courthouse Harrisburg

told staffer to ask Arlen for a meeting.

2:00 PM - 3:00 PM

Said he would call back

FBI to see Fox -- FBI Office Harrisburg

Asked to see Agent Fox, who I met with in May, said no Agent by that
name.
Talked to another Agent, middle age balding, white shirt &
tie, 5'7' - told we have a problem, gave him a copy of Fed 05-2288
Motion for Continuence filed on Monday.

August 17, 2006


Thursday
9:30 AM - 10:00 AM

Meeder Meeting with John Meeder Excelsior Place -- Medder Office

18 to 20 million for block, mixed use. Vague, interested in talking to Ralph.


9:30 PM - 10:30 PM

Meeting with Ralph Mazzochi -- Ryder Avenue

talked about Excelsior Place, liked to do Gallo, talked about Mazzi,


said I would schedule a meeting with Hamid and Brunswick.

11:00 PM - 12:00 AM

Cathy Caterbone and Ralph -- Velentinos Cafe, Ryder Avenue, Lancaster

Cathy said, "now don't get mad, you are going to get mad - asked if I
was taking medicine, asked her why and she started to back track and
Stan Caterbone

66

9/25/2006 10:13 AM

August 17, 2006 Continued


Thursday
said vitamins, said how much weight I lost - talked to John, did not
say anything on Cathy cell phone, was not nice, took Cathy to Turkey
Hill and home, went in for a minute, saw Angel's daughter and Cathys
in living room on couches, Played some of Sheryls music on Ipod, told
her about Sheryl, she kept wanting to hug me, I made an excuse to
leave asap, invited me to some family reunion on Saturday, said she
did not have a date.

August 18, 2006


Friday
3:15 PM - 4:15 PM

Hearing MDJ Commins - 2 Girls walking -- Giest Road, Lancaster, PA

Fedor on Prosecution table; did not swear in first gilr, blonde, did
not live in Conestoga, kept lying, said went past her 5 times, and
was afraid from being out in the country, said I harrassed her, was
lying about where she was walking, frustrating to cross with all
lies; 2nd witness lied about the time, place and calling police, I
closed files, Judge kept lying about procedure, when Fedor got to
stand, asked to leave and go to bathroom, could not tolerate hearing
his lies, I would not testify, wastse of time. thought it was a
preliminary hearing, Judge would not give me time to prepare for
case, said it was a summary hearing, I only picked up file right
before Hearing started. Ruled Guilty.
Fedor stood guard at door, I asked her what he was
out to other side of door. Judge said she just got
wanted to hold a pre arraignment hearing, I said I
for the DUI from SRPD, I said I recieved no notice
for that day, I

doing, he stepped
paperwork, and
never heard of it,
of another hearing

August 21, 2006


Monday
9:00 AM - 10:00 AM

Honda Payment Due

10:00 AM - 11:00 AM

Visit Russell Pugh, Matt Samley, -- 120 N. Shippen Street,Lancaster

Heather Smith receptionist; ordered file from Matt Samley from 1998
legal opinion, and Tommy's bankruptcy and Estate file.
Russel Pugh, criminal defense solicitation; met for 1 hour free
consultation; said irregularity with DUI and under limit, said should
have been given sobriety test; unlawful arrest, questioned civil
action, wanted file, said defended Tabatha Buck, said Lambert did it,
told him about prosecutorial and affadavit, kept asking me what I had
to do with Lambert Hearing, kept telling him I signed and filed an
affadavit. said wanted to represent me, said he wanted money,
offered stock, said I would not pay a fee.
told him about whistle
blowers filing.

2:00 PM - 3:00 PM

Visit Hamid at Brunswick -- Brunswick Hotel, Lancaster,PA

Said he was on vacation for 10 days, did not get Ralph's stuff;said
he was only leasing space; N. Queen and Chestnut Streets 12.50/sq ft
(10,000), plus all utilities; kept telling me that Lancaster City was
revitalizing Lancaster Square; would not tell me who proposed the
project, said it was coming later, kept telling me "do you know Binns
Park", kept repeating; was very hostile this meeting, said space
above was for lease, 30,000 sq ft ; 2 movie theaters, said was
Stan Caterbone

67

9/25/2006 10:13 AM

August 21, 2006 Continued


Monday
interested but will not go back to him.

August 23, 2006


Wednesday
4:30 PM - 5:30 PM

Called PA Civil Rights Dept

Returned phone call to Mr. ...., he wanted me to summarize my


complaint, I said about Whistleblowers complaint, he kept trying to
get me to summarize, I told him I wasn't in private, he kept
pressuring me, I said I'll call next week, he got mad, and I said I
would talk to Rendell that evening, I told him to put something in
writing, he said complaint was too long and involved. I said Tuesday
at 3:00 pm I would call him back if I could get to a phone

6:00 PM - 7:00 PM

visit with Gov Ed Rendell at Campaign event -- Binns Park, Lancaster, PA

Interuppted him with a reporter and tape recorder as he left the


stage, he shook my hand,he said something about he did not have a
Civil Rights department, I said in the Attorney General Office, he
said something about an elected official. I left and went to sit
down, then got out a card and went back and gave it to him down
closer to Queen Street.

7:00 PM - 8:00 PM

Put Petion on Lois Herr's Table -- Binns Park

Put petition on table with other Democrats to get signatures, about


10 other petitions were there to sign, people were signing multipe
petitions. Ms. Oter... kept moving mine to back, I asked Mr Chapman
where I could get my petition the next day, everybody at table lied
about where the Democratic Office was. I stayed around table and Ms.
Connie...and another woman came up to me with my petition and I said
I was a registered Democrat, and I said here is my voter
registration, they got mad when I showed it to them, and kept trying
to harrass me, and told me they did not want to leave my petition for
signitures, I said fine and took it back with 2 signatures on it.
They kept harrassing me and I told them at least twice to stay away
from me and warned them they were harrassing me, then left and told
the 2 lancaster City Police Officers, and they belittled me and I
left.

August 24, 2006


Thursday
3:00 AM - 4:00 AM
3:30 AM - 4:30 AM

Getty Robbed complained to Lancasster City Police re 1250


Girl at 1250 Fremont stalking and harrassing

looked like she pretended to walk out of Billy P house,moved car so I


could park, got out of car and looked wiered; I drove to back to park
in alley, she followed me and pulled up behind me and got out of car
and kept approaching me and talking, I told her she doesn't belong
here, and she said she was looking for "Lefty her cousin" she kept
trying to get close to my door, I told her to leave and folloed her
down to Hershey avenue.

Stan Caterbone

68

9/25/2006 10:13 AM

August 24, 2006 Continued


Thursday
10:00 AM - 11:00 AM

Filed Notice of Defaults Harleysville and Mike -- Lancaster County Courthouse

August 25, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

6:00 AM - 7:00 AM

Payment for Website Due -- Webmasters online

2w

4:45 PM - 5:45 PM

Phone Call to PP&L Attorney M. Henry -- Ric Miller, Whetland Park Road, Lancaster, PA

Talked to Mr. Henry about scheduling conference via telephone as


instructed, said that Judge Fehling said I could reschedule hearing
at anytime, I said that is not what the Order said, he said the
transcript said that I could.
He told me to call PP&L about a repayment plan to get my electricity
Stan Caterbone

69

9/25/2006 10:13 AM

August 25, 2006 Continued


Friday
turned on, I asked him what he meant, he kept telling me I would have
to call PP&L, I said what do you do for yhour money, he said he was
a lawyer - I hung up phone. 3 Federal Judges, and at least 3 Orders,
and countless hours of legal time to tell me to call PP&L.

6:00 PM - 9:00 PM

Crosby,Stills,Nash,and Niel Young -- Hershey Stadium

Crosby, Stills, Nash & Young


Type of Event:
Concert
Show
Entertainment
Venue:
Hershey

HERSHEYPARK Stadium

Event Date(s):
8/25/06
Event Time(s):
8:00 PM
On-Sale Date:
5/8/06
On-Sale Time:
10:00 AM
Admission:
$176.00, $126.00, $76.00, $56.00 and $38.50
Processing fee applies
**8 Ticket Limit**
Parking fee applicable
Event Details:
The group will tour with no opening act, and the
show will spotlight an extended set from CSNY as in their previous
outings. The show will include their classic work together as well as
favorites from their storied individual careers.
CSNYs almost four-decade long musical connection is one of the most
influential and enduring collaborations in contemporary music. When
they first came together as a quartet in 1969, each member brought a
pedigree from another formidable bandCrosby from The Byrds, Nash
from The Hollies, and Stills and Young from Buffalo Springfieldand
their synergy together brought them to new hei

August 28, 2006


Monday
4:30 AM - 5:30 AM

Made Complaint 2 Lancaster City Police Cruisers -- alley behind ryder avenue

Told them for the 4th time about 1250 fremont street, told them that
a desk sergeant told me they were going to send someone over to talk
to me when I was in the station Sunday morning to complain about
people around house and stealing from 1250 Fremont Street
Heavy dose of chlorophorme in car, heavidest in a while, had to
vacate car in Turkey Hill parking lot at Columbia avenue and ryder
avenue.

August 29, 2006


Tuesday
8:15 AM - 9:15 AM

Weis Markets tried to rip me off again -- Manor Shopping center

overcharge for sausage, would not recognize red discount sticker that
said .94, was cut in half. ...Dunkel gave me it for free, went to
Customer Service counter for refund, and put sausage at end of
counter, I noticed that I did not have the sausage as I was about to
walk out, went back and got sausage,
Stan Caterbone

70

9/25/2006 10:13 AM

August 29, 2006 Continued


Tuesday
I have Weiss empolyees trying to overcharge me everytime at every
Weis Markets.

11:15 AM - 12:15 PM

Election Board Office -- N. Queen Street, Lancaster PA 17603

Met at reception area by McClane, wanted me to be 200th


signature,from Millersville, talked about representative gov v.
democracy; signed his and he signed mine, did not want to take card.
Went to deliver petition, asked for additional forms, I said someone
stole the file, gave me anoterh set; woman said you need 200
signatures, I said I had people trying to interfere with me getting
signatures, 2 women said we better... and went to get another woman.
Woman said you need 200 I said can't I file a complaint? she said
well you could put something in writing, looked suspicious, I left
petition on counter and said I have to make a phone call and left.

3:00 PM - 4:00 PM

Call Civil Rights Dept Investigator in Harrisburg -- PA Attorney general's Office

August 30, 2006


Wednesday
6:00 PM - 7:00 PM

Drivers License Siezed by Millersville Boro Sieze License

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Stanley J. Caterbone
Advanced Media Group
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania
:
V.

Civil Action No. ________

:
:

Millersville Borough Police Department


Michael K. Schaefer
10 Colonial Avenue
Millersville, PA 17551
:
STATE OF PENNSYLVANIA

:
:

COUNTY OF LANCASTER

Stan Caterbone

: ss

71

9/25/2006 10:13 AM

August 30, 2006 Continued


Wednesday
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION
COMPLAINT
1.
On or about August 30th 2006, at approximately 6:00 pm; the Defendant pulled the
Plaintiff over on Wabank Road, Lancaster, Pa; which was out of the jurisdiction of the
Millersville Borough Police Department. The Plaintiffs 2005 Honda Odyssey was
approximately 165 yards from the 35 mph speed limit sign on the west side of Wabank Road
at the north end of the Brenners Quarry lot.
2.
The Defendant was directly behind the Plaintiff at the intersection of Cottage Avenue
and Millersville Road; stopped at the red light.
3.

The Defendant illegally detained the Plaintiff and his vehicle.

4.
The Defendant illegally Seized the Pennsylvania Drivers License 18195782 and
Vehicle Registration Card; and did so knowing that the Plaintiff provided proof of Appeal
currently in Commonwealth Court.
5.
The Defendant failed to acknowledge any explanation or statement that would have
prevented the seizure.
6.
The Plaintiff filed an appeal to Superior Court and received a Notice from Penn DOT
providing instructions for the Appeal process, which automatically vacates the previous
suspension the Plaintiffs Drivers License.
7.
The Defendant illegally seized the Plaintiffs vehicle and turned it over to the
jurisdiction and possession of the St. Denis Towing Company, of Mount Joy, Pa.
8.
The Defendant totally took all access to the Federal, State, and Local courts and took
away the Plaintiffs right to due and fair process by illegally taking away his only means of
transportation.
9.
The Defendant took the Plaintiffs access to his mail at his residence at 220 Stone Hill
Road, Conestoga, PA 17516.
10.
The Defendant interfered with the Plaintiffs Business Operations and Contracts and
literally brought the activities to a standstill.
11.
On or about April 21, 2006, the Plaintiff filed a stolen item report ($743.00 Cash) to
the Defendant stating the following: I am hereby formally and officially requesting a copy of the
above incident report concerning stolen case for my current litigation with Lancaster General
Hospital (Docket No. CI-06-03401) and Southern Regional Police Department (Docket No.
CI-06-03401) both in the Commonwealth Court of Common Pleas.
12.
The Defendants actions can be seen as retaliatory in nature and an affirmation of the
Defendants support for the Corrupt activities and Harassment of Officer Busser of the
Southern Regional Police Department.

Stan Caterbone

72

9/25/2006 10:13 AM

August 30, 2006 Continued


Wednesday
Dated: September 1, 2006
__/s/ Stanley J. Caterbone________
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

CERTIFICATE OF SERVICE

Stanley J. Caterbone, Pro Se


Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/
Service To:
Millersville Borough Police Department
Michael K. Schaefer
10 Colonial Avenue
Millersville, PA 17551

Certificates of Service were sent by United States 1st Class Mail on September 1, 2006.
By, __/s/ Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/
Stan Caterbone

73

9/25/2006 10:13 AM

August 30, 2006 Continued


Wednesday
IN FORMA PAUPERIS

1. I am the plaintiff in the above matter and because of my financial condition am unable to
pay the fees and costs of prosecuting or defending the action or proceeding.
2. I am unable to obtain funds from anyone, including my family and associates, to pay the
costs Litigation.
3. 1 represent that the information below relating to my ability to pay the fees and costs is true
and correct:
(a) Name:
Stanley J. Caterbone
Address:
220 Stone Hill Road, Conestoga, PA 17516
Social Security Number: 200-46-0959
(b) Employment

If you are presently employed, state

Employer:

Advanced Media Group

Address:

220 Stone Hill Road, Conestoga, PA 17516

Salary or wages per month: $0.00 Currently in Litigation See Notes


Type of work:
If you are presently unemployed. state
Date of last employment:
(c) Other income within the past twelve months Relationship:
Business or profession: Advanced Media Group has no income at this time
See Bankruptcy Petition 05-23059, U.S. District Court For The Eastern District of
Pennsylvania Civil Actions 05-2288 and 06-1538
Other self-employment:
Interest:
Dividends:
Pensions and Annuities:
Social Security benefits:
Support payments:
Disability payments:
Unemployment compensation and supplemental
benefits:
Workman's compensation:
Public assistance:
Food Stamps approx $155.00
Other:
(d)
Other Contributions to household support
(Wife)(Husband) Name: ______________________
If your (wife)(husband) is employed, state
Employer:
Salary or wages per month:
Type of work:
Contributions from children:
Contributions from parents:
Othcr contributions:
(e)- Property owned:
Cash:
Checking Account:
Stan Caterbone

$.00
$-445.00
74

9/25/2006 10:13 AM

August 30, 2006 Continued


Wednesday
Savings Account:
Certificate of Deposit
Real estate (including home):
Motor vehicle
Make :
Cost :

$155,000.000
Dodge Pick Up , Year 1991
-,
$2700.00
Amount Owed $ 0.00

Stocks; bonds: 9996,000 shares Advanced Media Group Non Marketable Securities These
shares are subject to litigation in the United States District Court for the Eastern District of
Pennsylvania Civil Action 05-2288, there is no tangible value to the Plaintiff until this case is
completely adjucated
Other:
(f) Debts and obligations
Mortgage:
$89,000
Rent:
Loans: Credit Cards - $40,000 Yolanda Caterbone - $30,000
Other:
$5,000.00 current accounts payable
(g) Persons dependent upon you for support
(Wife)(Husband) Name:
Children, if any:
Name:
Age:
Date of last employment:
Salary or wages per month: Other persons:
Type of work: Name:
4. I understand that I have a continuing obligation to inform the court of improvement in my
financial circumstances which would permit me to pay the costs incurred herein.
5. I verify that the statements made in this affidavit are true and correct. I understand that false
statements herein are made subject to the penalties of 18 Pa:C.S. , relating to unsworn
falsification to authorities.
Date: ________________________

_/s/ Stanley J. Caterbone


Petitioner

(i) The Praecipe required by subdivision (d) shall be substantially in the following form:

PRAECIPE TO PROCEED IN FORMA PAUPERIS

To the Prothonotary:
Kindly allow , Stanley J. Caterbone (Plaintiff), to proceed in forma pauperis.
(i) I, Stanley J. Caterbone, attorney for the party proceeding in forma pauperis, certify that I
believe the party is unable to pay the costs and that I am providing free legal service to the
party.
(j) If, simultaneous with the commencement of an action or proceeding or the taking of an
appeal, a party has filed a petition for leave to proceed in forma pauperis, the court prior to
acting upon the petition may dismiss the action, proceeding or appeal if the allegations of
Stan Caterbone

75

9/25/2006 10:13 AM

August 30, 2006 Continued


Wednesday
poverty is untrue or if it is satisfied that the action proceeding or appeal is frivolous.

Dated: September 1, 2006


By, __/s/ Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
http://www.amgglobalentertainmentgroup.com/
mailto:amgroup01@msn.com

August 31, 2006


Thursday
9:00 AM - 10:00 AM

Chapter 11 Transcript Hearing -- Reading, PA

9:00 AM - 10:00 AM

Chapter 11 Transcript Hearing -- Reading, PA

September 01, 2006


Friday
9:00 AM - 10:00 AM

Chapter 11 Brief Due for U.S. Trustee Conversion Motion

12:00 PM - 1:00 PM

Sheryl red

September 02, 2006


Saturday
5:00 PM - 5:30 PM

Pat Dixon, Ana Gianapolis and 2 others -- Cafe next to Manor Cinemas

Gave 4 to project hope, talked about Pat's dilema, asked if I was going to support her and
SDL???

September 05, 2006


Tuesday
8:00 AM - 3:00 PM

Ms. Collier, PA Public Welfare drop off letter for Special Exception

www.amgglobalentertainmentgroup.com
amgroup01@msn.com
717.731.8184 Phone
717.427-1621 Fax
Stan Caterbone
Advanced Media Group
Stan Caterbone

76

9/25/2006 10:13 AM

September 05, 2006 Continued


Tuesday
220 Stone Hill Road
Conestoga, PA 17516
September 5, 2006
Ms. Wiggins
Lancaster County Assistance Office
832 Manor Street
P.O. Box 4967
Lancaster, PA 17604
Re: 200-46-0959
Special Needs Allowance
I stopped into the Manor Street office today to see you and I was instructed by your
Supervisor, Ms. Collier to write
you this note.
I am hereby requesting Red Rose Transit Bus Tokens for the purpose of commuting on a daily
basis to the
downtown area for job and work related activities. I require Internet access at the Lancaster
County Library for my
Resume Replies with Monster.com, to communicate with other sources for income, and to use
my email account.
I also require transportation to regularly attend the Lancaster County Courthouse for the many
hearings, filings, and
research that my present court cases demand.
I have no other means of transportation and have no available cash funds to purchase any bus
tokens.
Could you please expedite this request?
Stanley J. Caterbone

9:00 AM - 9:30 AM

Ms. Collier, PA Welfare Office -- Lancaster County Assistance, Manor Street

She said to write a request for Special Allowance for Bus Tokens

September 07, 2006


Thursday
9:00 AM - 10:00 AM

Hearing - MDJ Commins SRPD DUI

September 08, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
Stan Caterbone

77

9/25/2006 10:13 AM

September 08, 2006 Continued


Friday
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

September 09, 2006


Saturday
3:00 PM - 3:30 PM

Ben Roda Visit -- 93 Pilgrim Drive, Millersville, PA 17551

Advanced Media Group


Stanley J. Caterbone.

PRAECIPE

vs.

Mr. Benjamin Roda, In the Court of Common Pleas of Lancaster County


September 11, 2006

No
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Advanced Media Group


Stanley J. Caterbone
Stan Caterbone

78

9/25/2006 10:13 AM

September 09, 2006 Continued


Saturday
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania
:
:
V.

CIVIL ACTION NO.

:
Mr. Benjamin Roda
63 Pilgrim Drive
Millersville, PA 17551
717-842-6341
:
:
STATE OF PENNSYLVANIA

:
:

COUNTY OF LANCASTER

: ss

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION
COMPLAINT
1.
On September 9, 2006 at approximately 3:07pm Plaintiff did enter the residence of the
Defendant for a cordial and friendly visit. The Defendants brother, Mr. Dominick Roda,
suggested it on September 7th, that the Plaintiff stop by for a visit.
2.
During that visit the Defendant did engage in slandering, defaming, and libeling the
Plaintiff on several occasions.
3.
The Defendant accused the Plaintiff of extorting approximately $4,700.00 from
Yolanda Caterbone by stating that the Judgment that the Plaintiff was awarded for
construction services (1250 Fremont Street, Lancaster, Pennsylvania) was done through
fraudulent means. The Defendant declared that the Plaintiff performed such services without
the permission or consent of the owner of, Yolanda Caterbone. That is completely and utterly
false.
4.
A District Court awarded judgment in a Civil Action (CV-0000207-05) where that
argument was never even raised by Yolanda Caterbone or any of her representatives. It took
the Plaintiff approximately 16 months and the threat of executing on a lien on the property
(1250 Fremont Street, Lancaster, Pennsylvania) to collect the judgment award.
Stan Caterbone

79

9/25/2006 10:13 AM

September 09, 2006 Continued


Saturday
5.
The Defendant also declared that it was now the Plaintiffs responsibility to provide
elderly care for the Plaintiffs Mother, Yolanda Caterbone (the Defendants sister), contributing
to nothing less than psychological harassment and mental duress. Yolanda Caterbone has
been residing in Florida since November of 2004.
6.
The Defendant also declared and emphatically stated that everyone lies to you
because you are sick, thus suggesting and declaring that the Plaintiff is suffering from mental
illness. The Plaintiff interpreted everyone to mean all of the law enforcement officers that
fabricated the criminal charges now pending before the Commonwealth of Pennsylvania.
7.
The Defendant alleged that the seizure of the Plaintiffs drivers license was both lawful
and deserving and disputed the Plaintiffs declaration of prosecutorial misconduct associated
with the citations used to suspend the Plaintiffs drivers license
(.TR-0001010-06;TR-0001011-06 filed by Southern Regional Police Chief Fiorill and the
Appeal by Trial de Novo filed on July 13 in the Court of Common Pleas).
8.
The Defendant has had no personal contact with the Plaintiff since the spring of 2005,
and such a declaring statement was only meant to discredit the Plaintiff and the Plaintiffs civil
actions against Fulton Bank. (United States District Court for the Eastern District of
Pennsylvania CA-1535;05-2288;06-3399;05-3689, United States Bankruptcy Court 05-23059,
Commonwealth Court of Common Pleas 06-02271).
9.
The Defendants son, Mr. Craig Roda, is the President of Fulton Bank, and the
Defendants son-in-law, Mr. Phillip Wenger, is the President of Fulton Financial Corporation, of
Lancaster, Pennsylvania.
10.
In the spring of 2005, again at the residence of the Defendant, the Defendant also
engaged in a hostile conversation with accusations that the issues raised in the Plaintiffs civil
actions against Fulton Bank were directly related to the actions of Mr. Craig Roda. The
Defendant also denied his son, Mr. Craig Roda, never made the hostile and harassing
telephone call in February of 2005, immediately following a meeting with the then President of
Fulton Bank, Mr. Phillip Wenger. The meeting was arranged by Mr. Smith, then Chairman and
CEO of Fulton Financial Corporation for the purpose of resolving the Plaintiffs allegation later
raised as causes of actions in the civil actions that were later filed.
11.
At that time of the preceding, the Plaintiff had not filed any civil actions in any courts
against Fulton Bank. The first civil action against Fulton Bank was not filed until May 16, 2005
in the United States District Court for the Eastern District of Pennsylvania.

12.
The Plaintiff seeks to have the courts place a cease and desist order against the
Defendant and the Defendants family from engaging in such damaging accusations.

Dated: September 11, 2006


__/s/ Stanley J. Caterbone________
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/
COMMONWEALTH OF PENNSYLVANIA
Stan Caterbone

80

9/25/2006 10:13 AM

September 09, 2006 Continued


Saturday
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

CERTIFICATE OF SERVICE

Stanley J. Caterbone, Pro Se


Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/
Service To:
Mr. Benjamin Roda
63 Pilgrim Drive
Millersville, PA 17551
717-842-6341

Certificates of Service were sent by United States 1st Class Mail on September 11, 2006.
By, __/s/ Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/
IN FORMA PAUPERIS
Petition and Affidavit of Financial Status
(Pennsylvania Rules of Procedure Rule 240)

1. I am the plaintiff in the above matter and because of my financial condition am unable to
pay the fees and costs of prosecuting or defending the action or proceeding.
2. I am unable to obtain funds from anyone, including my family and associates, to pay the
costs Litigation.
3. 1 represent that the information below relating to my ability to pay the fees and costs is true
and correct:
(a) Name:
Stanley J. Caterbone
Stan Caterbone

81

9/25/2006 10:13 AM

September 09, 2006 Continued


Saturday
Address:
Social Security Number:
(b) Employment
Employer:
Address:

220 Stone Hill Road


200-46-0959

If you are presently employed, state:


Advanced Media Group, Owner
220 Stone Hill Road, Conestoga, PA 17516

Salary or wages per month: $0.00 Currently in Litigation See Notes


Type of work:
If you are presently unemployed. state
Date of last employment:
(c) Other income within the past twelve months Relationship:
Business or profession: Advanced Media Group has no income at this time
See Bankruptcy Petition 05-23059, U.S. District Court For The Eastern District of
Pennsylvania Civil Actions 05-2288 and 06-1538
Other self-employment:
Interest:
Dividends:
Pensions and Annuities:
Social Security benefits:
Support payments:
Disability payments:
Unemployment compensation and supplemental
benefits:
Workman's compensation:
Public assistance: Food Stamps approximately $154.00 per month
Other:
(d)
Other Contributions to household support
(Wife)(Husband) Name: ______________________
If your (wife)(husband) is employed, state
Employer:
Salary or wages per month:
Type of work:
Contributions from children:
Contributions from parents:
Other contributions:
(e)- Property owned:
Cash:
$0.01
Checking Account: $-301.00 $-74.00
Savings Account: $0.00
Certificate of Deposit
$0.00
Real estate (including home):
Motor vehicle

$165,000.000
Make: Dodge Pick Up , Year: 1991
Cost:
$2,700.00
Amount Owed $ 0.00

Stocks; bonds: 9996,000 shares Advanced Media Group non marketable securities these
shares are subject to litigation in the united states district court for the eastern district of
Pennsylvania civil action 05-2288, there is no tangible value to the plaintiff until this case is
completely adjucated.
Other:
(f) Debts and obligations
Stan Caterbone

82

9/25/2006 10:13 AM

September 09, 2006 Continued


Saturday
Mortgage:
Rent:
Loans: Credit Cards Other:

$97,000
$40,000 Yolanda Caterbone - $25,000
$3,000.00 current accounts payable

(g) Persons dependent upon you for support


(Wife)(Husband) Name:
Children, if any:
Name:
Age:
Date of last employment:
Salary or wages per month: Other persons:
Type of work: Name:
4. I understand that I have a continuing obligation to inform the court of improvement in my
financial circumstances, which would permit me to pay the costs incurred herein.
5. I verify that the statements made in this affidavit are true and correct. I understand that false
statements herein are made subject to the penalties of 18 Pa:C.S. , relating to unsworn
falsification to authorities.
Date: September 11, 2005

_________/sjc/__________________
Petitioner
(i) The Praecipe required by subdivision (d) shall be substantially in the following form:
PRAECIPE TO PROCEED IN FORMA PAUPERIS

To the Prothonotary:
Kindly allow , Stanley J. Caterbone,

(Plaintiff), to proceed in forma pauperis.

I, Stanley J. Caterbone, Pro Se Litigant, attorney for the party proceeding in forma pauperis,
certify that I believe the party is unable to pay the costs and that I am providing free legal
service to the party.
(j) If, simultaneous with the commencement of an action or proceeding or the taking of an
appeal, a party has filed a petition for leave to proceed in forma pauperis, the court prior to
acting upon the petition may dismiss the action, proceeding or appeal if the allegations of
poverty is untrue or if it is satisfied that the action proceeding or appeal is frivolous.

________/sjc/_____________________
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184
717-427-1621 Facsimile
amgroup01@msn.com
www.amgglobalentertainmentgroup.com

Stan Caterbone

83

9/25/2006 10:13 AM

September 09, 2006 Continued


Saturday
IN THE COURT OF COMMON PLEAS
OF LANCASTER COUNTY, PENNSYLVANIA

On this day of ______________________, 2006 upon consideration of the attached Petition


and Affidavit of Financial Status, it is hereby Ordered that the Petitioner, Stanley J. Caterbone,
IS permitted to proceed with the filing of his/her action or appeal In Forma Pauperis, and shall
not be required to pay the costs or fees payable in connection with such matter, but
conditioned upon his/her payment of such costs from the proceeds of an financial recovery in
this case.
BY THE COURT:

September 10, 2006


Sunday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

September 15, 2006


Friday
9:00 AM - 10:00 AM

Chapter 11 - Extension for Brief Due

September 21, 2006


Thursday
9:00 AM - 10:00 AM
9:00 AM - 10:00 AM

Honda Payment Due


MDJ Simms Disorderly Conduct -- 913 Elm Avenue

Simms could not take it that I knew the law and called him out on it
about the In Forma pauperis and he was wrong, so he pulled one of his
arrogant tricks and sent me to the Lancaster County Prison on August
11 for 4 hours.

1:00 PM - 2:00 PM

Project Hope Video Meeting with Penn Ketchum of MHMR -- MHMR Office 120 S. Queen Streets,
Lancaster

Already sent video

Stan Caterbone

84

9/25/2006 10:13 AM

September 22, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

September 28, 2006


Thursday
9:00 AM - 9:30 AM

MDJ Smith Payment Due HIA Parking Ticket $67.50

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


MAG. DIST. JUDGE: MI- J SMITH
1281 S 28TE ST
HARISBURG, PA 17111
MAGISTERIAL DISTRICT NO.: 12 -2 - 01
1717) WR-1160
COSTS $
OTHER $
TOTAL $
6/a8/06
(Date) (Defendant)
PA 17516
(~es~denc~ed dress) (Business adam)
Stan Caterbone

85

9/25/2006 10:13 AM

September 28, 2006 Continued


Thursday
(rel~nm~eu maer) (relephooe Num&r)
A hearing was held pursuant to Pa. R. Crim. P.456 on- 6/28/06 , to
determine the ability of , defendant, to pay the sentence of fines,
costs, and restitution imposed on 6/28/06 in the following: 1.
Finding of CRIMINAL CONTEMPT pursuant to 42 Pa.C.S. 4137.
privileges for Violation of Title 75 Moving Violations. 3. Referral
to a private collection I am financially able to pay the fines,
costs, or restitution imposed. .
/ 2 f;. ?,:;,>) , , , , , p ; .,s
PAYMENT SCHEDULE: < .. '
(Signature)
Date Amount Date Amount
09/28/06 $67.50
TOTAL: $67.50
AOPC 416A-05 DATE PRIMTED: 6/28/06 2:55:17 PH

September 30, 2006


Saturday
12:00 PM - 12:30 PM

Farm Aid To Bring Music, Put Spotlight On Good Food Movement Of Delaware River Valley

07/06/2006: Farm Aid 2006 Announced - Camden NJ / Philadelphia PA!


Farm Aid To Bring Music, Put Spotlight On Good Food Movement Of
Delaware River Valley - Willie Nelson, Neil Young, John Mellencamp
and Dave Matthews to Headline Sept. 30 Concert
PHILADELPHIAFarm Aid co-founder Neil Young today announced that
the nation's leading family farm advocacy organization will bring its
annual benefit concert to The Tweeter Center on the Waterfront in
Camden, New Jersey.
Farm Aid 2006 will urge Americans to choose food from family farms,
creating growing opportunities for more family farmers. Artists at
the 2006 concert will show support for activities that keep family
farmers on the land. Farm Aid's fundraising concert is scheduled to
take place on Saturday, Sept. 30 and will feature headliners Willie
Nelson, Neil Young, John Mellencamp and Dave Matthews, plus other top
artists to be announced later.
Tickets for Farm Aid 2006 are on sale July 22 at 10 a.m. EDT and are
availabl

Stan Caterbone

86

9/25/2006 10:13 AM

November 25, 2005


Friday
3:00 PM - 3:30 PM

Caden Born 5 lbs.

November 27, 2005


Sunday
4:00 PM - 4:30 PM

Walk the Line-Manor Cinema

4:00 PM - 4:30 PM

Walk the Line-Manor Cinema

November 28, 2005


Monday
All Day

Smart Document solutions 8004640035 -- CC47263/0078719539

www.sdspayonline.com

7:00 AM - 8:00 AM

Sheryl & He Mom at Aquatic Center Mom CBS -- Keneet Pool

9:00 AM - 10:00 AM

Walk the Line/manor cinema

November 29, 2005


Tuesday
9:00 AM - 10:00 AM

# 54 Wildflower wk 9 - 31,400

1:00 PM - 2:00 PM

Chapter 11 fees -- Reading Clerk of Courts

Paid fee schedule. Clerk provide details for Dec 15 creditors


meeting, along with mandatory requirements.
Addendums and
supplimentals to schedules for creditors.

8:00 PM - 9:00 PM

Sheryl & Lance 2020 -- ABC 20/20

November 30, 2005


Wednesday
9:00 AM - 10:00 AM

Lancaster County Commmissioners Meeting -- lancaster County Courthouse

Art Moris gave recomendations for County Solicitor - excellent.


Convention Center debate; this is exactly what happens when everyone,
including LCCA and County Commisioners conduct business via back room
operations. Everyone seems to forget back in 1998 the enthusiasm for
the project and who killed it - Hoteliers and the lawyers.
The current state of affairs and the financial losses to date is
exactly what happens when politics and maybe even corruption drag out
a project for seven years without ever breaking ground - THE LAWYERS
GET RICH! and the Taxpayers pay the price. Enought blame for
everyone on this one.
If you want to play small town politics, then be happy with a small
and stagnent town, otherwise clean up this corruption.

Advanced Media Group

9/25/2006 10:13 AM

November 30, 2005 Continued


Wednesday
10:00 AM - 11:00 AM

Charlie Smithgall -- City Hall

visited with Dee, she explained the proposal for the Lancaster Press
Building and we discussed the skyline debate and project.

3:00 PM - 4:00 PM

Dr. Newman, Chiropractor -- Leola Family Health Center

Laser Treatment for groin.

4:00 PM - 5:00 PM

Mazzi's Ralph Mazzochi -- Leola

Stopped to say hi to Ralph.

4:00 PM - 5:00 PM

Mazzi's Ralph Mazzochi -- Leola

Stopped to say hi to Ralph.

5:00 PM - 6:00 PM

Cheryl @ Kettering Chiropractic -- Wiilow Street Pike

Stopped to give her info about Laser Treatments - Ket said she is no
longer here and moved on. No more messages.

8:00 PM - 9:00 PM

Sheryl - NYC Tree Lighting -- Central Park

December 01, 2005


Thursday
11:00 AM - 11:30 AM

Judge Twardowski Hearing Courtroom 1 3rd Floor -- Reading, PA

Fee Schedule
Cancelled, paid on Tuesday

11:00 AM - 11:30 AM

Reading Court Hearing

December 02, 2005


Friday
2:00 AM - 3:00 AM

East Lampeter Addendum for Hearing -- desktop

East Lampeter Citation Addendum to notes:


1.
After walking outside I tried to give my credit card to the
officer to pay for my bar tab, officer refused to take the credit
card so I threw the credit card on the ground. I told the officer
that the bartender tried to charge me for 8 drinks, which was not
true. I asked the bartender to see my tab with my drink totals on
it, she refused. Thats when I told her to call the police. She
inflated my drink total and would not let me see the tab or the
computer print out of my bar tab.
2.
I never yelled obscenities at the police that I can remember,
however, I do remember becoming furious when they did not let me pay
my tab, and especially when they said that I was too drunk to drive
my car home and insisted that I get a taxi home.
3.
I was especially concerned about leaving my car at the bar
because of all of my documents for my court cases that were in the
car. I did not want another incident of people accessing my files,
like what h

Advanced Media Group

9/25/2006 10:13 AM

December 02, 2005 Continued


Friday
2:15 PM - 3:15 PM

Dr. Newman - Laser Treatment -- Leiola Family Health Center

2nd Treatment

December 03, 2005


Saturday
8:00 PM - 9:00 PM

The Players in Vegas -- Mandalay Bay,Las Vegas, NV

WHO: Special appearance by Lance Armstrong and an acoustic set by


Sheryl Crow.
WHERE: Mandalay Bay
WHEN: Saturday, December 3rd
TIME: 7 p.m., General Reception; 8:00 p.m. Dinner, Entertainment,
Live & Silent Auction.
TICKETS: Tickets are $500 each. For more information please call The
Leukemia & Lymphoma Society office at (702) 436-4220

December 05, 2005


Monday
9:00 AM - 10:00 AM

East Lampeter Hearing -- 424 S. Angle Street,Mount Joy, PA 17552 656-2191

Charges withdrawn - May or may not be reissued by Judge Ruetter.


What a crazy discussion and hearing. Judge gave me the finger in the
end while pointing to PA on a piece of paper. I'll save the
specifics and details for myself on this one.
I DO NOT NEED A LAWYER TO TELL THE TRUTH!
OF COURSE, EVEN THE BEST LAWYERS ARE NEGATED TO INEFFECTIVE COUNSEL
IN CORRUPT COURTROOMS.

12:00 PM - 1:00 PM

Laser Treatments -- Dr. Newman, Leola

December 06, 2005


Tuesday
7:00 AM - 8:00 AM

ebay account hacked -- eBay account

23 ipods listed from my store from Bejing China

8:00 AM - 9:00 AM

ifcc fbi I05120608348825 -- fbi internet fraud unit

ifcc internet fraud account


I05120608348825
sullit

9:00 AM - 10:00 AM

#65 Wildflower wk 10 - 23,600

December 07, 2005


Wednesday
11:00 AM - 12:00 PM

Dr. Black -- WillowStreet

request for records

Advanced Media Group

9/25/2006 10:13 AM

December 08, 2005


Thursday
8:00 PM - 12:00 AM

fiona - tower -- Phil 69th street

black ice - roads too bad to trave


smiller

4:00 AM - 5:00 AM

IFCC FBI I05120804514805 -- fbi internet fraud unit

I05120804514805
hudasi
You are about to submit a complaint with the IFCC.
Please review your information prior to submission.
A PDF copy of your complaint will be emailed to:
amgroup01@msn.com
IFCC COMPLAINT REFERRAL FORM
The following information was provided by the victim and may be
forwarded
to the appropriate law enforcement or regulatory agencies.
Computer Intrusion/Hacking
Date of Complaint: 12/8/05 4:51:15 AM
Victim Information
Business Name: Advanced Media Group andGlobal Entertainment
Group
Name: Stan J Caterbone
DOB: 07/15/1958
Gender: M
Phone #: 7177995915
Email: amgroup01@msn.com
Street Address: 220 Stone Hill Road
Suite/Apt/Mail Stop:
City: CONESTOGA
Live in city limits: No
County: Lancaster State:PA Zip: 17516
Country USA
Do you have pertinent documents in paper form? No
Please indicate who your local law enforcement agency is:
Southern Regional Police Department
Please List the easiest way and most convenient time to contact you:
phone and

9:15 AM - 10:15 AM

Laser Treatments -- Leola Family Health Clinic

3:00 PM - 4:00 PM

take website down -- omnis

took offline

4:00 PM - 5:00 PM

Discover Card -- cell

at least 3 calls
teresea "your case was dismissed on Nov 28, reported on dec 7"
fees to clerk of courts on nov 29th

paid

December 09, 2005


Friday
12:00 AM - 10:30 PM

fiona - tower -- Phil 69th street


Please See Above

Advanced Media Group

9/25/2006 10:13 AM

December 09, 2005 Continued


Friday
11:00 AM - 12:00 PM

ujoe -- cell

again
trouble for myself?

December 10, 2005


Saturday
11:00 AM - 12:00 PM

30 Day Free Magazine Orders Expire - vog elle enter etc.

5:00 PM - 6:00 PM

Syriana -- Manor Regal Cinemas

well done movie

December 12, 2005


Monday
1:00 PM - 2:00 PM

CD/DVD Writer Hacking -- Cyberwarehouse,Lancaster

tried to restore sys.config - did not work


tried to install new cd/dvd writer - did not work
said to reinstall operating system and reinstall all software
was able to write to 3 cd on Iomega drive before it was hacked early
am
cd writer and dvd writer hacked last month

4:00 PM - 5:00 PM

Comcast Cable Disconected? -- dirty rotten scondrels

8:00 PM - 9:00 PM

Elton John Red Piono -- NBC

December 13, 2005


Tuesday
9:00 AM - 10:00 AM

#67 Wildflower wk 11 - 23,600

9:00 AM - 10:00 AM

LNP The Forgotten Soldier

Forgotten soldier
Hempfield grad was on a top-secret mission in Vietnam; his role and
details of his death were kept from family for many years
By AD CRABLE, New Era Staff Writer
Henry Gerald Gish, Lancaster County's forgotten Vietnam soldier,
saved the lives of his buddies. He was dead at the time. After
nightfall on March 11, 1968, the secret radar base Gish and 18 other
hand-picked Americans were running atop a cliff in the Laos jungle
came under attack by daring North Vietnamese commandos. The illequipped Air Force soldiers, technically Civilians at the time,
scrambled for cover in a hail of bullets and rocket shells. The 25year-old Gish, the kid of the group, and four others piled into a
cave on the mile-high precipice, dubbed Lima Site 85 by the U.S.
government.
Gish was killed early on by a ricocheting bullet. When a grenade was
lobbed into the cave, his body was dragged onto the explosive. Three
airmen survived because of that. But the United States was not
supposed to
Advanced Media Group

9/25/2006 10:13 AM

December 13, 2005 Continued


Tuesday
December 15, 2005
Thursday
1:00 AM - 2:00 AM

Iraq Votes -- Iraq

Iraq Votes

12:30 PM - 1:30 PM

Meeting of Creditors Reading Courtroom 1 3rd Floor610-320-5255 -- 400 Washington Street,


Reading,pa

341 Meeting with Mr. Ward of Department of Justice, No Creditors


attended. Routine meeting to clarify under oath schedules submitted.
Said to submit all filings to Reading Courts and would only hear from
DOJ if anything additional is needed. Asked when able to file
reorginaztion plan, answered "hard to answer at this time without any
further information from Judge Maclachlin of Eastern Regional
District Courts".

1:30 PM - 2:00 PM

Advanced Media Group

Reading Parking Meter & Inspection Violations -- Chapter 11 Bankruptcy Federal Court

9/25/2006 10:13 AM

December 15, 2005 Continued


Thursday
3:00 PM - 4:00 PM

Groff Heating & Cooling -- 220 Maintenace

2nd No Show

December 16, 2005


Friday
12:00 PM - 1:00 PM

Sheryl Live on Howard Stern -- New York city

Great Concert and interview by HS

7:00 PM - 8:00 PM

The Marsch sisters-White House Xmas Singers -- Hollinger House, Willow Valley

Open House and concert

11:00 PM - 11:30 PM

Josh Creative Completed

December 17, 2005


Saturday
6:00 AM - 7:00 AM

Judge McLaughlin Hearing Request -- Stone Hill

Stanley J. Caterbone (pro se)


220 Stone Hill Road
Conestoga, PA
17516
United States District Court for the Eastern District of Pennsylvania
Honorable Judge Mary A. McLaughlin
Room # 13614
601 Market Street, Room 2609
Philadelphia, PA 19106-1748
Phone: (215) 597-7704
Fax: (215) 597-6390 600
Re: Case No. 05-2288
Honorable Judge Mary A. McLaughlin,
On Thursday, December 15th, in the United States Bankruptcy Court for
the Eastern District of Pennsylvania, I had my 341 Conference with
Mr. Ward of the Trustees office of the Department of Justice, under
oath. This meeting was recorded by Mr. Ward; the only persons
present were a Security Officer of the courts, myself, and Mr. Ward.
No creditors elected to attend.
During our meeting I was asked to determine the date of time in which
I will be able to submit my reorganization plan to the courts as
prescribed by law. My answer was that I have not had access to the
above aforementioned case, and until I do, it wo

1:00 PM - 2:00 PM

Hot Tub Cramp

almost freakin ....

3:00 PM - 4:00 PM

Cingular -- Park City,Lancaster,PA

Replace and activate new simm card in old phone to replace stolen
phone.
data cable
Advanced Media Group

9/25/2006 10:13 AM

December 17, 2005 Continued


Saturday
charging cable stolen
TGIF

6:00 PM - 7:00 PM

Josh Christmas Gift -- Harrisburg Pike,Lancaster,PA

Label/Receipt Number: EC90 6902 833U S


Status: Enroute
Your item was processed and left our LANCASTER, PA 17604 facility on
December 17, 2005. Information, if available, is updated every
evening. Please check again later.
hipped to:
JHOSSELIN VAZQUEZCALIZAYA
CFCA- FUNDACION CRISTIANP
CASILLA 558 1COCHABAMBA

6:00 PM - 7:00 PM

USPS 176/414406-9550 -- Harrisburg Pike,Lancaster,PA

To Judge McLaughlin
to Judge Twardoswski

December 19, 2005


Monday
2:00 PM - 3:00 PM

3 rd No Show Groff Heating & Cooling -- 220 Maintenace

3rd No Show

December 20, 2005


Tuesday
9:00 AM - 10:00 AM

#73 Wildflower wk 12 - 23,600

December 21, 2005


Wednesday
10:00 AM - 11:00 AM

Budget Submittals to Reading

Nov - Done

4:00 PM - 5:00 PM

Laser Treatment -- Leola, Pa

5th treatment.

8:00 PM - 9:00 PM

Christmas Adoption showSheryl Crow, The Goo Goo Dolls, Toni Braxton and Yolanda Adams -- CBS

December 23, 2005


Friday
10:00 PM - 11:00 PM

Advanced Media Group

Men in Black Johny Cash Tribute -- Chamilion Club, Lancaster

9/25/2006 10:13 AM

December 27, 2005


Tuesday
9:00 AM - 10:00 AM

#72 Wildflower wk 13 -

December 28, 2005


Wednesday
8:00 AM - 8:30 AM

Cyberwarehouse Restore System -- Lancaster, PA

$50 to restore to factory settings


$45 wireless pci card for old HP Laptop

December 30, 2005


Friday
1:00 AM - 2:00 AM

es usps mail -- Harrrisburg Pk, Lancaster, PA

9:00 AM - 10:00 AM

es email Avatar,Interscope, RIAA -- cc email list

December 31, 2005


Saturday
4:30 AM - 5:30 AM

Depart for Los Cabos SouthWest Fl to Houston 7:20am -- 220 Stone Hill

charged me an extra $25 for luggage that they ended up loosing later
in the day in Houston.

1:00 PM - 2:00 PM

Lost Luggage when Arrive Houston -- Houston Hobby Airport

Lost Luggage From Philadelphia, Report and Claim No.


Not a very pretty conversation in SW office.

1:00 PM - 2:00 PM

Mom Calls while in meeting with SouthWest Airlines re luggage -- Southwest Airlines Office at Hobby
Airport, Houston

are you stuck?

8:00 PM - 9:00 PM

Arrive PVR - Not Los Cabos -- Puerto Avijeho, Mexico

Realize not Los Cabos when trying to rent a car. Would not let me
rent a car, said can't use debit card. Wanted to charge my account
$2,000 for.....
told me to go to Marriot.

9:00 PM - 10:00 PM

Marriot Hotel at Puerto Vijeho -- Mexico

Cheapest Room #389.00 per night.


Stayed and tried to relax and figure out what to do at lounge until
approx 12:30. Finally talked a cabbie to take me to find another
hotel, hard because did not speak english, so he said. Other hotel
full, went back to Airport and stayed there all night hoping to get a
flight out back to Houston or Los Cabos in morning.

Advanced Media Group

9/25/2006 10:13 AM

January 01, 2006


Sunday
7:00 AM - 8:00 AM

Continetal Airlines Could not talk to anyone about problem

finally at about 8:30 talked to Continental at ticket counter, no


flights, all booked untlil Wednesday. Put me on stanby for other
flights that day, but said probably would not get on a flight. Kept
arguing about problem with several ticket agents,very abusive and
controlling, kept trying to intimidate me.

12:00 PM - 1:00 PM

Avis Car Rental -- PVR

Was able to rent a car, agent on Saturday night was lying about
credit card. At least I could leave aiport and get something to eat.
Needed to buy some shoes, since I was wearing winter boots a jeans in
85 degree weahter, becasue of my lost luggage at Southwest Airlines.

8:00 PM - 9:00 PM

Nikki Beach -- PVR

January 02, 2006


Monday
5:00 AM - 6:00 AM

Nikki Beach -- Gave me a Suana and Shower for free

7:00 AM - 11:00 PM

Breakfast at Nikki Beach -- Nikke Beach PVR

Stayed on Beach all day, had to buy shorts, tshirt, and sandles.
Went to eat and came back to bar on beach at night, re Iraq, sheryl,
and music.

January 03, 2006


Tuesday
7:00 AM - 8:00 AM

Honda Inspections -- Manhiem Pike, Lancaster

9:00 AM - 10:00 AM

Finally got a flight out to Houston -- PVR

again, abuse and intimidation by Continental emplyees, not happy


about me getting a flight. Had to pay additional charge of $100 for
ticket.

9:00 AM - 10:00 AM

Sheryl Wildflower Goes Platinum 1 Million Copies -- Billboard Charts

If you go to Billboard.com and look under the top 200 album charts,
Sheryl is like 71 but it list that her album has gone platinum!!!!!
This is great news that people can appreciate her talent enough to
love an album that isn't commercial in any shape or form. I also
noticed that on this album, much like The Globe Sessions, the best
songs on the albums have been written by Sheryl..."I know why,
Perfect lie, wildflower, and Always on your side"!!!!! On the Globe
Sessions Sheryl solely wrote, "The difficult kind, anything but down,
riverwide, and a few others!!!! And, she was nominated for grammys
for a few of these songs. Congrats Sheryl on your 6th platinum (most
multiplatinum) album.

Advanced Media Group

10

9/25/2006 10:13 AM

January 05, 2006


Thursday
5:15 AM - 6:15 AM

Letter to Editor Drew Anthon -- Lancaster Newspapers

Civility, professional etiquette, and the public discourse for the


Lancaster Convention Center debate. Tonight at the meeting at Farm
and Home, I had approached Mr. Drew Anthon and politely asked him to
discuss and settle my civil complaint. This was the third attempt I
had made in person. Again, he walked away and would not respond.
In April I had filed a civil complaint in the Court of Common Pleas
of Pennsylvania, against Mr. Anthon, and the Eden Resort Inn for
publicly inciting the withholding of the hotel tax by other hoteliers
of Lancaster County, thus deliberately putting at risk the continuing
and the development of the center. Mr. Anthon already had his fair
access to the courts, and lost. And of course, costing the
Convention Center Authority valuable financial resources and time.
Mr. Anthon had defaulted on that complaint, and failed to respond to
the courts when serviced. I must now file a Notice of Default, but
first wanted to give Mr. Anthon the professional c

6:00 AM - 7:00 AM

Complaint number: I06010506177009Password: ludage -- FBI IFCC Complaint

On January 30 I had planned to visit Los Cabos, Mexico, for a


business trip. I had used the Internet to locate the airport (PTO)
for that destination to locate and book the necessary travel
accommodations. PVR (Puerto Vallarta, Mexico) appeared on several
Google searches as that airport. I accordingly booked flight
itinerary and tickets for that trip. On January 31 I booked a flight
from Houston Hobby airport to PVR (Continental Flight 1768, Seat
10D). I had some knowledge of the PTO system, having the national
register for PTOs when I had my plane operating, the Piper Navajo
Chieftain, in 1987. I had logged several flights, as far away as
Atlanta, and booked it for charter to several clients.
PVR was not, in fact, the airport for that destination. I had
consumed an estimated $2,000 in expenses for that trip, and never was
able to travel to Los Cabos as planned. I was denied a car rental
after landing in PVR without any lodging accommodations. I had to
spend 3 eve

8:00 AM - 8:30 AM

Judge Mary J. McLaughlin Service Order

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE
v.
LANCASTER COUNTY PRISON, ET EL NO. 05-2288 ORDER CIVIL ACTION
---AND NOW, this 5th day of January, 2006 upon
-- consideration of the plaintiff's December 17, 2005 letter to the
Court requesting to amend the complaint and for a hearing, whereas
the complaint was filed and summons were issued to the pro se
plaintiff on May 16, 2005, and whereas the plaintiff has not served
the summons and complaint within 120 days after filinig the complaint
complaint, as required by rule 4(m) of the Federal Rules of Civil
procedure, IT IS HEREBY ORDERED that the plaintiff shall serve the
summons and complaint on or before January 25, 2006. If the
plaintiff does not do so, the Court will dismiss the complaint
without prejudice. The Court will consider the plaintiff's request
to amend the complaint and for a hearing after the summons and
complaint are served.
Advanced Media Group

11

9/25/2006 10:13 AM

January 05, 2006 Continued


Thursday
IT IS FURTHER ORDER

2:00 PM - 3:00 PM

Complaint number: I06010506177009 -- To Harleysville

via fax, and usps

8:00 PM - 9:00 PM

Complaint number: I06010506177009 -- To Continental

FBI IFCC Complaint via letter

11:00 PM - 12:00 AM

Sheryl & Interscope -- Via email

Due to circumstances beyond all of our control, and considering this


case is sealed due to sensitive information; and the fact that Sheryl
is a shareholder of record, her appearances may not be a priority, in
the concern for all.

United States District Court for the Eastern District of Pennsylvania


Honorable Judge Mary A. McLaughlin
Room # 13614
601 Market Street, Room 2609
Philadelphia, PA 19106-1748
Phone: (215) 597-7704
Fax: (215) 597-6390 600
Re: Case No. 05-2288
Advanced Media Group
Stan Caterbone
mailto:
amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Fax: (717) 427-1621
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516

January 06, 2006


Friday
3:30 AM - 4:00 AM

Stan and Sheryl email Interscope re Courts

Re:

Sheryl Crow

Due to circumstances beyond all of our control, and considering this


case is sealed due to sensitive information; and the fact that Sheryl
is a shareholder of record, her appearances may not be a priority, in
the concern for all.

United States District Court for the Eastern District of Pennsylvania


Honorable Judge Mary A. McLaughlin Room # 13614
601 Market Street, Room 2609
Philadelphia, PA 19106-1748
Phone: (215) 597-7704
Advanced Media Group

12

9/25/2006 10:13 AM

January 06, 2006 Continued


Friday
Fax: (215) 597-6390 600
Re: Case No. 05-2288
Advanced Media Group
Stan Caterbone
mailto:
amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Fax: (717) 427-1621
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516

9:00 AM - 10:00 AM

Complaint number: I06010506177009 -- To Southwest

via USPS

9:00 AM - 10:00 AM

Complaint number: I06010506177009 -- To Contiental

USPS

January 07, 2006


Saturday
6:00 PM - 7:00 PM

KIC

January 11, 2006


Wednesday
8:00 AM - 8:30 AM

Sheryl Itunes Release -- Apple Itunes

5:00 PM - 5:00 PM

Sent Dr. Newhart email

For five years I had a major groin injury that I was not able to find
anyone who could treat it. This included regular medical MD's,
Chiropractors, and even message therapists. The paid was so sever,
that on several occasions I had to go to the Emergency Room for pain
medication. This summer, the pain literally left me standing, unable
to take another few steps.
Then I saw the article in the Lancaster Newspapers about Laser
Therapy and Dr. Newhart of the Leola Family Health Clinic.
After the firs visit, the treatment lasted about 2 minutes, and all
the Dr. did was place a red light, the laser, over my groin; I did
not seam to notice much difference. I was already on a heavy dose of
pain medications from my Family physician. After my next 2 minute
Laser treatment, I was able to move my leg with a range of motion I
had not seen if five years. In a few days I was able to run, after
spending much of the last six months in pain from just walking. All
for under $100.00, and y

Advanced Media Group

13

9/25/2006 10:13 AM

January 12, 2006


Thursday
7:30 AM - 8:30 AM

Honda Inspection -- Jones Honda, Lancaster, PA

3:00 PM - 3:30 PM

Conestoga Post Office Lost Items -- Conestoga, PA

Lost IFCC to Southwest Airlines 70051820000254205128


Lost IFCC to Continental Airlines 70051820000254205135
New USPS employee from York, told her she lost them, since she
handled them. Dropped off copies of all docs and said he lost them.
Said someone would search for them.

January 13, 2006


Friday
8:00 AM - 8:30 AM

cLancaster County Redevelopment Authority

Meeting with Randy Patterson - Discussed Concerts, said Joe probably does not have any,
was not interested in getting involved, said not his reponsibility, Barnstormers manage facility
and their option. Said we keep going around in circles.

8:00 AM - 8:30 AM

Judge McGlaughlin Letter -- Philadelphia, PA

January 13, 2005


Stanley J. Caterbone (pro se)
220 Stone Hill Road
Conestoga, PA
17516
United States District Court for the Eastern District of Pennsylvania
(010385574959684)
Honorable Judge Mary A. McLaughlin
Room # 13614
601 Market Street, Room 2609
Philadelphia, PA 19106-1748
Phone: (215) 597-7704
Fax: (215) 597-6390 600
Re: Case No. 05-2288
Honorable Judge Mary A. McLaughlin,
I have received your court order of January 5, and will proceed
accordingly.
In addition, I would like to inform you of a recent complaint IFCC
Complaint Referral Report Complaint Number: I06010506177009.
Please see attached.
Respectfully,

Stanley J. Caterbone
Attachment: IFCC Complaint No.
Cc:

file
Mr. Hugh Ward, Department of Justice, Office of Trustee

Advanced Media Group

14

9/25/2006 10:13 AM

January 13, 2006 Continued


Friday
(0103855749668136070)
Honorable Judge Thomas M. Twardowski, United
States Bankruptcy Court, Eastern District of Pennsylvania
(0103855749521335442)

12:00 PM - 9:00 PM

Clipper SnowMagic Opening -- Cipper Stadium, Lancaster, PA

Play snowball! A new twist for stadium


Snow-tubing highlights busy offseason.
By DAVID O'CONNOR, New Era Staff Writer
On Friday, it will have been more than 100 days since the last pitch
was thrown at Clipper Magazine Stadium, and more than 100 until the
next one.
And the only game in town will be snow, not the summer one.
When they throw open the stadium gates for "Snow Magic Fun Park" on
Friday, the Lancaster Barnstormers' home baseball field will be
transformed into a snow-tubing winter wonderland.
But baseball will still be on the minds of the winter fun's
organizers.
You may not recognize the ballpark, but it'll still be a chance to
promote the stadium and the Barnstormers, now preparing for their
second season of baseball in late April, team officials
said.................................................................
.............
"Any event we have here is potentially expanding our Barnstormer fan
base," Joe Pinto, the team's general manager, said

January 15, 2006


Sunday
8:00 AM - 8:30 AM

List of Creditors

Creditors
AAA Financial Services
PO BOX 15287 (cr)
Wilmington, DE 19886-5287
Bank of America
PO BOX 53132 (cr)
Phoenix, AZ 85072-3132
Bank of America
PO BOX 1070 (cr)
Newark, NJ 07101-1070
Capital Blue Cross
PO BOX 778990 (cr)
Harrisburg, PA 17177-8990
Chase/Bank One
PO BOX 15153 (cr)
Advanced Media Group

15

9/25/2006 10:13 AM

January 15, 2006 Continued


Sunday
Wilmington, DE 19886-5153
CitiBank Credit Card
PO BOX 183063 (cr)
Columbus, OH 43218-3063
Comcast
PO BOX 3006 (cr)
Southeaster, PA 19398-3006
Discover
file:///A:/AMG%202005/Ipod%20Notes/List%20of%20Creditors%20Re...
2 of 3 12/10/2005 4:25 AM
PO BOX 15251 (cr)
Wilmington, DE 19886-5251
Donegal Mutual Insurance
PO BOX 300 (cr)
Marietta, PA 17547-0300
Fed-Ex
PO BOX 374161 (cr)
Pittsburg, PA 15250-7461
Fulton Mortgage Services
PO BOX 69 (cr)
East Petersburg, PA 17520-0069
Lancaster Regional Medical Center
PO BOX 3434 (cr)
11/21/2005 10:29 AM
Creditor Query https://ecf.paeb.uscourts.gov/cgi-bin/CreditorQry.pl?
287191072121238...
Lancaster, PA 17604-

January 16, 2006


Monday
8:00 AM - 8:30 AM

Sara Rusdiah <afterglow_1810@yahoo.co.uk> -- London, UK

Sara Rusdiah <afterglow_1810@yahoo.co.uk>


Sent :
Monday, January 16, 2006 9:28 AM
To : Stan Caterbone <amgroup01@msn.com>
Subject :
I know it's been a long time...
since we last e-mailed each other, and you may have forgotten me. My
username is RokrPrincess in Sheryl's fan forum, in case you've
forgotten. I'm just wondering, what's your username (in Sheryl's fan
forum), if I may ask?
Best regards,
Sara

8:00 AM - 8:30 AM

Sara Rusdiah <afterglow_1810@yahoo.co.uk> -- London, UK

Sara Rusdiah <afterglow_1810@yahoo.co.uk>


Sent :
Monday, January 16, 2006 9:28 AM
To : Stan Caterbone <amgroup01@msn.com>
Subject :
I know it's been a long time...
since we last e-mailed each other, and you may have forgotten me. My
username is RokrPrincess in Sheryl's fan forum, in case you've
forgotten. I'm just wondering, what's your username (in Sheryl's fan
Advanced Media Group

16

9/25/2006 10:13 AM

January 16, 2006 Continued


Monday
forum), if I may ask?
Best regards,
Sara

7:00 PM - 8:00 PM

Martina Hershey Giant Theatre

January 17, 2006


Tuesday
8:00 AM - 8:30 AM

FBI Field Office -- Philadelphia, PA

Called about computer hacking and intruders

January 18, 2006


Wednesday
All Day

Sheryl & Lance Visit South Africa Unite 4 Health -- Johannesburg, South Africa

Lance Armstrong will be in South Africa this week for a day-long


visit. Clinton van der Berg spoke to the cycling great ahead of his
whirlwind tour
LANCE Armstrong arrives in South Africa on Wednesday morning in his
private jet. With rock-star girlfriend Sheryl Crow in tow hell be
whisked off to a press conference, followed by a visit to Soweto.
Later theres the possibility of a game-reserve visit and then a
charity banquet in Johannesburg in the evening.
That same night, hell step back on the plane, headed for home in
Texas. Hell barely have time to take a breath. Such are the
obligations of superstardom.
Armstrong will be here promoting Unite 4 Health, a social investment
campaign initiated by Adcock- Ingram. As a cancer survivor, its an
issue thats close to his heart (his is one third larger than the
average males, incidentally).
Speaking from his ranch in Austin, Armstrong said he had never
travelled to Africa because of the distance, but a gap in his calenda

9:00 AM - 10:00 AM

PA Housing Finance Hearing -- 211 North Front St, Harrisburg,PA 17105

780-3937
780-4031fax

11:30 PM - 12:00 AM

Notice of Service To Fed Civil Actions -- Harisburg Pike Post Office

Mailed all complaints and Judge Mclaughlin's Notice of Service


Package, with the exception of Southern Regional Police Department

January 19, 2006


Thursday
10:00 AM - 10:30 AM

Joe Pinto Village Clair Bros Email -- AMG

StanThanks for your help on this!!


Joe
Advanced Media Group

17

9/25/2006 10:13 AM

January 19, 2006 Continued


Thursday
-----Original Message----From: Advanced Media Group [mailto:amgroup01@msn.com]
Sent: Thursday, January 19, 2006 10:35 AM
To: joe.pinto@lancasterbarnstormers.com
Subject: Concerts
Joe,
I had a nice conversation with Gene Clair's son, who now runs Clair
Bros,
Monday night at the Martina Mcbride concert in Hershey about you and
the
Clipper.
It was a great show, and if you can, you should catch her show.
Anyway, I explained to him your problem, and he said he would do what
he can
to help get some acts there.
Attached is what Clair Brothers used to do in the old days down at
the
Village. The owner of the Village gave this list to me last nite( I
have
been trying to get a list for quite awhile), and we said we are going
to try
and double that list.
Good Luck with booking some great shows for 2006
Stan.
NATIONAL ACTS THAT HAVE APPEARED AT THE VILLAGE
TESLA
JACKYL
FOGHAT
.38 SPECIAL
Dl0
KIX
TOMMY CONWELL
BLUE OYSTER

1:00 PM - 1:30 PM

Osama Bin Ladin Tape -- Pakistan

BY HASSAN M. FATTAH, New York Times


DUBAI, United Arab Emirates -- Breaking more than a year's silence,
Osama bin Laden warned Americans in an audiotape released Thursday
that al-Qaida was planning more attacks on the United States, but he
offered a "long truce" on undefined terms.
It was unclear when the recording, broadcast by the Arab satellite
television station Al-Jazeera, was made, but the CIA verified its
authenticity and said the station was probably right in saying it
dated from early December.
American officials said the release might have been timed to assure
his followers bin Laden was alive and well days after an American
bombing of a house in a Pakistani village where senior Qaida
officials were said to have been killed.
In the tape, bin Laden addressed the American people directly, saying
of his supporters, "Our situation is getting better while yours is
getting worse."
"My message to you is about the wars in Iraq and Afghanistan and how
to end them," he began. "Bu

Advanced Media Group

18

9/25/2006 10:13 AM

January 19, 2006 Continued


Thursday
3:00 PM - 3:30 PM

K.L. Shirk dies at age 83 -- lancaster, PA

SUMMARY: This letter is the reply of the Lancaster Bar


Association as to the question of ethics if the law firm of
Shirk, Reist, Wagenseller and Shirk would formally
associate with FMG, Ltd.,. Kenelm L. Shirk, Jr., was business
associate of Stan Caterbone's whom he often would confide
business matters especially the start up of FMG, Ltd.,
.L. Shirk Jr., an influential force in the Lancaster County
Republican Party for decades, died in his home Thursday at age 83.
"He was a class act," said George Alspach of Lancaster, whose father
worked with Shirk inside the county GOP during the 1960s and '70s.
Shirk -- whose first name was Kenelm -- served as county GOP chairman
from 1964 to 1971 and was a father figure and mentor to Lancaster
Republicans for the rest of his life.
"He would always call me 'Mr. Chairman,' and we would exchange that
title," current county Republican Committee Chairman Dave Dumeyer
said. "Whenever he had an issue he thought was

January 20, 2006


Friday
2:00 PM - 2:30 PM

Twardowski Response to Order of Jan 9 -- USPS Priority Mail

Delivery Confirmation Label Number: 0103 8555 7495 2644 2732


January 20, 2006
Stan J. Caterbone
220 Stone Hill Road
Conestoga, PA
17516
Honorable Judge Thomas M. Twardowski,
United States Bankruptcy Court, Eastern District of Pennsylvania
400 Washington Street
Reading, PA
19601
Re:

Case No. 05-23059

As per the following Order:


AND NOW,this day of 1/9/06, it appearing that counsel may have
attempted to add creditors after a notice of the meeting was served
upon listed creditors, but failed to file a certificate of service of
the debtor's amended schedules or amended matrix as required the
provisions of Local Bankruptcy Rule 1009.1,
it is hereby ORDERED that if such certification of service of
amended matrix as required the provisions of Local Bankruptcy Rule
1009 is not filed within Twenty (20) days from the date of this
Order, the case will be closed without any such amendment, and the
discharge and/or claims of exemption of the debtor(s) may not

3:00 PM - 3:30 PM

Filed Drew Anthon Default Notice -- Lancaster County Courthouse

Filed Drew Anthon Default Notice and it was stamped in the


prothonatarys office at 3:00pm by Audrey Conners
Advanced Media Group

19

9/25/2006 10:13 AM

January 20, 2006 Continued


Friday
4:00 PM - 4:30 PM

Served Drew Anthon Default Notice -- Eden Resort, Lancaster, PA

Served Defualt Notice to Diane McMahon, the Secretary in the


Marketing Office of the Eden Resort Inn. She said Drew was out of
the office, so she gave the notice to Drew's Secretary while I was
there. I went to have 1 drink at the Lounge Bar at the Eden on my
way out. 560-8440.

9:00 PM - 9:30 PM

Meeting with Joe Pinto & Slide at Sno Magic -- Clipper Stadium

Email to Joe on Saturday, January 21, 2006 7:50 am


Thanks for the ride last nite. I thought that was fun and think the
SnowMagic Park will be a BIG Hit. After I left I stopped by at the
Alley Cat for a drink, and floated your idea of the Ice Skating rink
with maybe some music and a few firepits to some people, and they
loved your idea.
Last Spring I stopped by the DA's office to tell Heidi Ecklin that we
should bring back the old ice skating rink at Buchanan Park. We
really had a blast back then with that, and the kids loved it there.
We always had good music on the PA system, and we used to have a fire
burning in an old trash can to keep warm. I used to run it for the
Lancaster Rec Commission.
I also talked about your idea of some bands at the Clipper during
Happy Hour in the Spring, and they loved it.
Here is the Record Company, locasted in the Manor Shopping Center
that I hear is booking a lot of great local musicians:
http://www.cirecords.com/cirecords/
A

January 21, 2006


Saturday
10:00 AM - 10:30 AM

Joe Pinto Village Clair Bros Email -- AMG

StanThanks for your help on this!!


Joe
-----Original Message----From: Advanced Media Group [mailto:amgroup01@msn.com]
Sent: Thursday, January 19, 2006 10:35 AM
To: joe.pinto@lancasterbarnstormers.com
Subject: Concerts
Joe,
I had a nice conversation with Gene Clair's son, who now runs Clair
Bros,
Monday night at the Martina Mcbride concert in Hershey about you and
the
Clipper.
It was a great show, and if you can, you should catch her show.
Anyway, I explained to him your problem, and he said he would do what
he can
to help get some acts there.
Attached is what Clair Brothers used to do in the old days down at
the
Village. The owner of the Village gave this list to me last nite( I
Advanced Media Group

20

9/25/2006 10:13 AM

January 21, 2006 Continued


Saturday
have
been trying to get a list for quite awhile), and we said we are going
to try
and double that list.
Good Luck with booking some great shows for 2006
Stan.
NATIONAL ACTS THAT HAVE APPEARED AT THE VILLAGE
TESLA
JACKYL
FOGHAT
.38 SPECIAL
Dl0
KIX
TOMMY CONWELL
BLUE OYSTER

1:00 PM - 1:30 PM

Osama Bin Ladin Tape -- Pakistan

BY HASSAN M. FATTAH, New York Times


DUBAI, United Arab Emirates -- Breaking more than a year's silence,
Osama bin Laden warned Americans in an audiotape released Thursday
that al-Qaida was planning more attacks on the United States, but he
offered a "long truce" on undefined terms.
It was unclear when the recording, broadcast by the Arab satellite
television station Al-Jazeera, was made, but the CIA verified its
authenticity and said the station was probably right in saying it
dated from early December.
American officials said the release might have been timed to assure
his followers bin Laden was alive and well days after an American
bombing of a house in a Pakistani village where senior Qaida
officials were said to have been killed.
In the tape, bin Laden addressed the American people directly, saying
of his supporters, "Our situation is getting better while yours is
getting worse."
"My message to you is about the wars in Iraq and Afghanistan and how
to end them," he began. "Bu

3:00 PM - 3:30 PM

K.L. Shirk dies at age 83 -- lancaster, PA

SUMMARY: This letter is the reply of the Lancaster Bar


Association as to the question of ethics if the law firm of
Shirk, Reist, Wagenseller and Shirk would formally
associate with FMG, Ltd.,. Kenelm L. Shirk, Jr., was business
associate of Stan Caterbone's whom he often would confide
business matters especially the start up of FMG, Ltd.,
.L. Shirk Jr., an influential force in the Lancaster County
Republican Party for decades, died in his home Thursday at age 83.
"He was a class act," said George Alspach of Lancaster, whose father
worked with Shirk inside the county GOP during the 1960s and '70s.
Shirk -- whose first name was Kenelm -- served as county GOP chairman
from 1964 to 1971 and was a father figure and mentor to Lancaster
Republicans for the rest of his life.
"He would always call me 'Mr. Chairman,' and we would exchange that
title," current county Republican Committee Chairman Dave Dumeyer
said. "Whenever he had an issue he thought was
Advanced Media Group

21

9/25/2006 10:13 AM

January 21, 2006 Continued


Saturday
January 26, 2006
Thursday
6:00 PM - 11:00 PM

Sheryl Concert Detroit -- Fox Theater, Detroit

26th
27th
28th
29th

Jan
Jan
Jan
Jan

Fox Theater, Detroit - On Sale Dec 9


Riverside Theater Milwaukee - On Sale Dec 12
Auditorium Theater Chicago - On Sale Dec 10
Ryman Auditorium, Nashville - On Sale Dec 10

January 27, 2006


Friday
6:00 PM - 11:00 PM

Sheryl Jan Riverside Theater Milwaukee -- Jan Riverside Theater Milwaukee

26th
27th
28th
29th

Jan
Jan
Jan
Jan

Fox Theater, Detroit - On Sale Dec 9


Riverside Theater Milwaukee - On Sale Dec 12
Auditorium Theater Chicago - On Sale Dec 10
Ryman Auditorium, Nashville - On Sale Dec 10

January 28, 2006


Saturday
6:00 PM - 11:00 PM

Sheryl Auditorium Theater Chicago -- Auditorium Theater Chicago

26th
27th
28th
29th

Jan
Jan
Jan
Jan

Fox Theater, Detroit - On Sale Dec 9


Riverside Theater Milwaukee - On Sale Dec 12
Auditorium Theater Chicago - On Sale Dec 10
Ryman Auditorium, Nashville - On Sale Dec 10

January 29, 2006


Sunday
6:00 PM - 7:00 PM

Sheryl Ryman Auditorium, Nashville -- Ryman Auditorium, Nashville

26th
27th
28th
29th

Jan
Jan
Jan
Jan

Fox Theater, Detroit - On Sale Dec 9


Riverside Theater Milwaukee - On Sale Dec 12
Auditorium Theater Chicago - On Sale Dec 10
Ryman Auditorium, Nashville - On Sale Dec 10

January 30, 2006


Monday
All Day

psdms -- 220 Stone Hill Road, Conestoga, PA 17516

Mail env
6:00 PM - 11:00 PM

Sheryl Ryman Auditorium, Nashville -- Ryman Auditorium, Nashville

February 01, 2006


Wednesday
8:00 AM - 12:00 PM

ANSWER TO FULTON BANK REQUEST FOR RELIEF FROM AUTOMATIC STAY

Local Bankruptcy Form 9014-3


UNITED STATES BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA

IN RE
Advanced Media Group

:
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February 01, 2006 Continued


Wednesday

Chapter 11

NO. 05-23059-

Stanley J. Caterbone,
TMT
Debtor

NOTICE OF MOTION ANSWER TO FULTON BANK REQUEST


FOR RELIEF FROM AUTOMATIC STAY

On January 24, 2006 Fulton Bank filed a Motion for Relief from
Automatic Stay Pursuant to 11 U.S.C. Section 362 and Bankruptcy Rule 9014 in
order to exercise its state law rights and remedies as concerns its mortgage lien
against Debtor's premises located at 220 Stone Hill Road, Conestoga. Lancaster
County, Pennsylvania.
The following is my answer requesting the courts to deny the Motion for Relief
from Automatic Stay due to many circumstances surrounding this mortgage,
specifically the civil actions currently before the In The United States District Court
For The Eastern District Of Pennsylvania in STANLEY J. CATERBONE Plaintiff,
VS. FULTON BANK, Civil Action No: 05-2288, under the jurisdiction of the
Honorable Mary A. McLaughlin.

1. Due to circumstances beyond my control, I and the Advanced Media Group


was erroneously denied fair access to the courts dating back as far as 1987
to file civil complaints against FULTON BANK. The nature of those
complaints involve the following:
a.

b.

Advanced Media Group

1987 - Libel and slander pertaining to a FULTON BANK


employee (Jill Carson), against my person while a customer of
FULTON BANK that contributed to my demise and the demise
of my company and its subsidiaries Financial Management
Group, Ltd. A check for insurance for my plain that was posted
against my account at FULTON Bank in 1987, was intentionally
and maliciously used for a reason for the wrongful repossession
by the then Commonwealth Bank, resulting in several violations
of lender liability against both FULTON BANK and
COMMONWEALTH BANK(MELLON BANK), some 30 days
before my first payment on the loan with COMMONWEALTH
BANK.
1990 - Diversion of funds regarding a check that was
erroneously posted against my account in 1991, that involved
Mr. Hostettler, the branch manager of the FULTON BANK
branch at the Greenfield Corporate Center.
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February 01, 2006 Continued


Wednesday
c.

1995 - The diversion of funds and extortion of funds by


FULTON BANK from the late Thomas P. Caterbone, my
brother, in 1995, from his company Country Funding, which was
a primary circumstance surrounding his suicide in 1996.
2006 - The undo influence of the FULTON BANK account for
Toms Project Hope account that I was the sole signatory and
depositor of funds in 2005 by a FULTON BANK employee or
employees.

d.

The following is a letter that I had sent to Ms. Christina Rainville, attorney of
the law firm of Schnader Harrison Segal & Lewis, of Philadelphia, to whom I had
requested assistance in gaining fair access to the courts pertaining to the above
allegations of wrongdoing against FULTON BANK, and six (6) other defendants, in
November of 1997. Ms. Rainville had acknowledged that letter and had later told me
that the law firm of Schnader Harrison Segal & Lewis was preventing her from
representing any more clients from Lancaster County other than Lisa Michelle Lambert
and Daryl McCrakken.
The purpose of presenting this letter to the courts is to provide you with
sufficient background information in making a lawful determination.
It is my opinion that the request for Motion for Relief from Automatic
Stay Pursuant to 11 U.S.C. Section 362 and Bankruptcy Rule 9014, from
FULTON BANK, be denied until the Civil Action No: 05-2288 be lawfully
adjudicated by The United States District Court For The Eastern District Of
Pennsylvania.

Any questions pertaining to the above may be addressed to the following:


Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Facsimile:
717-427-1621
Phone:
717-799-5915
Email:
amgroup01@msn.com

Dated:

February 1, 2006

COPY OF LETTER OF NOVEMBER 23, 1997


January 23, 1997
Mr. Stan J. Caterbone
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220 Stone Hill Road
Conestoga, PA 17516
Ms. Christina Rainville
1300 Market Street
Philadelphia, PA 19103
RE:

Previously discussed matters.

Dear Ms. Rainville:


I thank you for your help regarding the enclosed materials. As I have discussed
previously, I would appreciate your legal opinion as to the extent of my legal rights
concerning the following circumstances..
I will attempt to describe the many legal issues that are contained herein, and I have
provided documentation substantiating my claims. Due to the complexity and
sensitive nature of these issues, I have tried to reduce the paper to its simplest form,
while also protecting the integrity of my claims. I have also provided authentic
conversations, which I recorded merely in my defense as an accurate account of the
activities surrounding my sudden demise. I possess many more forms of evidence,
including over 9000 paper images that I had microfilmed in November of 1987.
I realize that you offered to review only a few documents, however it was necessary to
formulate the documents in a way that was sufficient to challenge the legal issues that
I am questioning. Documents 1 & 2 would provide a glimpse into the legal merits of
my claims. The following is an attempt to provide you with a brief description of the
activities and actions contained in these matters. Please understand that I have not
included any related activities that continued during 1991, especially concerning ISC
and the Central Intelligence Agency (CIA).
The following is a legend of the conversations contained on the Compact Disc:
2.

09/29/87 - A segment of the interview with the PA Securities and Exchange


Commission, Agent Howard Eisler, Attorney Robert Beyer, Client Millard
Johnson, and myself, present.
3.
02/24/88 - Meeting with Attorney Sandra Gray, of San Diego, California.
4.
07/10/87 - Phone conversation with Chuck Smith, President of Lancaster
Aviation.
5.
07/07/87 - Phone conversation with Attorney David Drubner.
6.
07/21/87 - Meeting in Hollywood California with the owner of Gamillion Film
Studios, who was seeking my help to secure financing. Also present is Marcia
Silen, a producer of the Digital Movie.
7.
10/27/87 - Telephone conversation with Pennsylvania Securities & Exchange
Commission Agent, Howard Eisler.
8.
10/26/87 - Detective Boden, of the Pennsylvania Attorney Generals office.
9.
02/24/97 - ABC News 20/20 segment on International Signal & Control, and
Arms to Iraq.

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Please forgive the form of the following narrative, however it is especially draining to
prepare these materials. This is the first time that I have attempted this task, with the
exception of various efforts which were intended to merely defend myself, my person,
my character, my reputation, or my assets. You will eventually discover that the
question of my mental condition is of grave importance to my perpetrators. For the
record, I do suffer from Bi Polar Mood Disorder, however, no where during all of
these activities can anyone prove that I have acted irrationally or insane, the truth to
my actions are well recorded, however the massive attack on my mental condition is
proven to be centered around lies and hearsay.
Any help pertaining to these matters, no matter how small, will be greatly appreciated.
Please invoice me accordingly.
The Background.
Ten years ago I had built a financial firm, Financial Management Group, Ltd.,
(FMG). In 1985 I had conducted a marketing study that included interviewing more
than 5 local physicians, all of substantial wealth or income. I had merely described
my strategic plan for FMG, and they gave me feedback, all positive and enthusiastic.
In 1986 I incorporated 11 different corporations, all under the ownership of FMG.
To attract local talent, FMG was owned by not only the 3 principals, but stock was
offered to every professional in the organization, including satellite offices. I had
raised approximately $400,000 of capital to start the company, and I did it in
compliance of the PA SEC Rule 144 Regulation D public offering.
In one year, we had phenomenal growth. By June of 1987 we had invested
approximately $50 million of client funds. We provided relatively most of the
financial services necessary during ones lifetime. On the streets our organization
was worth approximately $4 million, which is strictly correlated to the commissions
paid out. We had at least 10 satellite offices, and covered 5 states. We also owned an
interest in the PSG Broker Dealer, which was worth another $1.5 million.
I was Executive Vice President and Secretary of FMG. I was President and Secretary
of FMG Advisory, which was our Registered Investment Advisor (RIA). I had been
pushing through the approval process with the Pennsylvania Securities and Exchange
Commission for more than 6 months, concerning the RIA.
In early 1987 I had developed a mortgage banking operation. I had negotiated with a
large Southwestern mortgage firm to provide mortgages for Eastern Pennsylvania.
Our lending capacity ranged from a minimum of $3 million and as high as $100
million. Even more important was the fact that this lending capacity was very and
sometimes more competitive than other area lending institutions, I had shortly
developed a very large list of clients for whom I was trying to secure financing for
various types of projects.
Combining the mortgage banking services with the ability of FMG to secure financing
through equity investment programs, I was very attractive the real estate community
that had deals to finance. My second cousin, in Houston, TX, provided me with this
opportunity. In the mater of 2 months, we had met not only with several large local
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February 01, 2006 Continued


Wednesday
developers, I had also begun business with companies located in more than 5 other
states. I had provided a commitment letter for $5 million mortgage for Norris Boyd,
of Boyd Wilson, for the Village of Old Hickory. Norris Boyd had personally informed
me that I had a better deal than the Commonwealth National Bank (who will later
illegally reposes my airplane), where the loan was currently secured.
In February of 1987, because of our ability to raise capital, Scott Robertson requested
that I assist him in visiting Power Station Studio, who was trying to secure financing
for a movie. Reluctantly, due to the risk involved with motion picture investments, I
went to Power Station Studios, in Manhattan. Tony Bongiovi built Power Station
Studios to be among of an elite few. The names of stars that recorded there was very
impressive. Tony also produced the sound track for Star Wars, which was very
profitable, and still is. Another project, although controversial, was his cousin, Jon
Bon Jovi. Power Station is where Jon Bon Jovi began his amazing career, under early
development of Tony, his cousin. Contractual disputes ruined the relationship, which
put large sums of money to risk. Jon Bon Jovi is one of the leading all time
musicians, in terms of revenues.
Tony described his project, which was not merely just a movie. Tony wanted to
develop the first Digital Movie. Given my thirst for technology, along with a
demonstrated knowledge, I became infatuated with the concept, the concept of
providing the highest quality of sound, along with the highest quality of video. I had
researched the merits of the technology, which complimented my own vision, and
found a tremendously feasible project, one which would have the potential to have a
major impact into the film and video industries. I had always personally believed that
sound was as important as the picture for the truest sense of entertainment. The
following documents will demonstrate my investment into this technology, along with
my keen sense of perception. Today we call this Direct Broadcast Satellite DSS,
which is currently causing the cable industry great pains. The consequences of digital
technologies to the world of information is what now gives us the Information
Highway, and all of its peripheral components.
The following documents will easily confirm my interests to the preceding three
businesses, FMG, the mortgage banking operation, and the Digital Movie project.
The relationship to my partners was less than amicable. In developing FMG I agreed
to let Mr. Robert Kauffman (Kauffman) act as President, upon the condition that we
each own the same amount of stock. Mr. Michael Hartlett (Hartlett) did contribute to
the early development of FMG. Since Kauffman could not control me, Kauffman and
Hartlett would of attempt to buy me out, well after I created and incurred the most
risk, and after the proven success of the organization. In the Spring of 1987, I had to
personally take control of the Board of Directors to undue a merger that presented
great risk to the company, and my investment. As part of our strategic plan, we
agreed to purchase an interest in a Broker Dealer, rather than spending the capital
and human resources in which it would require. I had personally traveled to
Washington D.C., to visit this company, which was Kauffmans idea, and I literally
found an empty shell. I found offices full of empty cartons, empy file cabinets, and
this was the company that was responsible for processing all of the securities business
that our brokers transact. This process was vital to our organization.
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Wednesday
I immediately flew to Atlanta, GA, to visit another company, PSC, which had been
courting our company for a relationship for almost a year. It was a company that
provided technology, service, affiliates which accounted for several of the past
presidents International Association for Financial Planners, of which I served as Vice
President the Central Pennsylvania Chapter. (This association provided me with the
national exposure to develop FMG.)
In May of 1987, while traveling to a conference in Palm Springs, CA, the FMG
Board of Directors approve the merger of PSG, I had voted via telephone from an
airport in Chicago.
The would be the last time that I would vote at an FMG Board of Directors meeting.
This is when I loose virtually everything that is vital to a businessman, my assets,
excellent credit rating and my spotless reputation, my professional designations and
licenses, the opportunity to continue the vast business opportunities that I have
developed, and most painfully, my dignity --- all without merit or reasonable cause.
June 23, 1987
10:30 am. I have a schedule meeting with Mr. Larry Resch and Mr. Carl Jacobson,
both of International Signal & Control, (ISC) and United Chem Con. The meeting
was to discuss different financial deals. Upon arriving, Mr. Resch disclosed to me
that they had to fly Carl out of the country this morning, he will not be here.
I remember that there was a lot of names and places, all over the world, that
mentioned.
During our discussions, I had become annoyed at something, so I began making
assertions that ISC and Mr. James Guerin was involved with fraudulent activities. I
further described some of those activities.
I did not know that Mr. Resch was as close to Mr. James Guerin as you could get.
At approximately 3:00 that same afternoon, I had Russell Locksmith company change
the locks to my office door. Between my partners and ISC, I apparently became
concerned.
2 Days later, on June 25th, via telephone, Mr. Kauffman carelessly reported that 2
stock certificates were issued, without my authorization.
First, I, acting as Secretary ,I must authorize and issue stock certificates, in
accordance to the Articles of Incorporation.
Secondly, Kauffman and company must have burglarized my office to gain access to
the corporate records, which were under my custody, as defined in the Articles.
Several days later, during the night, I had went into my office and removed all of my
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February 01, 2006 Continued


Wednesday
files, and upon finding a forged stock certificate with another Board of Director
signing as myself and as Secretary, which violated several bylaws of the Articles of
Incorporation.
The next day I went to the office of my attorney, Mr. Joseph, who advised me to return
all of the corporate files, and essentially suggested that I go home and get some rest.
Mr. Roda would later represent Mr. William Clark, corporate legal counsel for ISC
against Mr. James Guerin in contract dispute for several million dollars.
That afternoon, I loaded all of my files into my airplane, to transport to Stone Harbor
NJ, where I was renting another house for the Digital Movie project. I had secured
pilots from Romar Aviation to transport the files early the next morning. I had driven
to New Jersey that evening.
That next morning, the pilot that I had hired to fly my plane, telephoned me and
informed me that my plane was repossessed and locked in a hanger, and he would not
be able to deliver my files.
Those files were the only means of substantiating the truth in order to protect myself
from whatever was happening.
My first payment to Commonwealth National Bank, was not due for another month.
In short, I finally found a pilot at the Cape May Airport to fly to Lancaster to my files.
He returned hours later with my files, and would only mention some incident involving
a gun. Later I would be told that he died a mysterious death the next month.
Not knowing that Commonwealth National Bank, the same bank that I was about to
transfer $5 Million mortgage to my mortgage operations, had actually repossessed my
titled airplane in the middle of the night. And conveniently with all of my files
aboard. What bank repossesses legitimate possessions in the middle of the night?
This will be the end of my life as I know it, I had demonstrated my success, my
reputation was exemplified through my ability to develop FMG, and my financial
credit was flawless. In the following months, I will suspiciously loose everything;
including my assets, my business interests, my reputation, my credit, and the most
valuable of all, my opportunity; and ultimately, my dignity. In reality, I was never
even given the chance to fail.
I will contend, and prove, that all of the actions, were without merit and many of
which were fraudulent themselves, and I know that I can substantiate that statement.
According the Articles of Incorporation, I was never legally removed as Secretary, or
any other official duties. Because, there cant be a Board of Directors Meeting
without me, the Secretary. The record in the preliminary hearing transcript clearly
proves that there was no legal Board of Directors Meeting that removed me.
I never resigned from any positions or official duties of FMG, nor was I ever officially
and legally removed from the same.
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I was a Tenant, with a $500,000 personal guarantee attached to the lease of FMG,
Ltd.
The forgery of stock certificates violated the bylaws of the Articles of Incorporation,
thus , as Secretary, my duties were to safeguard the corporate records.
The evidence indicates that all of the arrests were fabricated, the airplane
repossession was illegal, and all of the allegations of insanity were malicious.
In September of 1987, in the Report to the Board of Directors of Ferranti
International, raised a question of substantial risk, unlike that of which Ferranti was
accustomed. The report cautioned any alliance due to the related CIA activities
connected to ISC, and the lack of stability of the customers (Iraq?). At that same
time, I was making public allegations against ISC. My conversations posed
considerable risk to those connected with the pending deal with Farranti.
I can substantiate my claim that; everything that transpired during the days
immediately following the forged stock certificate, of FMG, Ltd., stock on June 25,
1987 was illegal and violated several of the bylaws of the Articles of Incorporation I
was the only officer that was in compliance with the bylaws of the Articles of
Incorporation, and the only officer that did not violate criminal codes.
I can substantiate my claim that I had an interest in Digital Technologies,
including patent research from Mr Joel Goldhammer, of the law firm of Seidel,
Gonda, Goldhammer & Abbott, P.C. of Philadelphia, which violated several statutes
of intellectual property rights.
I can substantiate my claims that all of the arrests and hospitalizations were malicious
and illegal, violating several of my civil rights.
I can substantiate my claim that my allegations of fraud within International Signal &
Control, Plc., were motive for many of my perpetrators.
I can substantiate my claim that the Pennsylvania Attorney Generals Office, and the
Pennsylvania Securities and Exchange Commission; aided and abetted in the sale of
Arms and Technologies to Iraq, by virtue of the fact that I made formal complaints
involving the same, and both agencies violated my constitutional rights to suppress the
truth of my complaints.
I can substantiate the legal validity of the recorded conversations for my defense.
My interests in Digital Technologies, and my demand to be restored to whole, is
the matter at hand.
I Remain,
Stan J. Caterbone

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Enclosure:

CD-ROM

NOTICE OF MOTION. RESPONSE DEADLINE


AND HEARING DATE

Fulton Bank has filed a Motion for Relief from Automatic Stay Pursuant to 11
U.S.C. Section 362 and Bankruptcy Rule 9014 in order to exercise its state law
rights and remedies as concerns its mortgage lien against Debtor's premises located
at 220 Stone Hill Road, Conestoga. Lancaster County, Pennsylvania.
Your rights mav be affected. You should read these papers carefully and discuss
them with your attorney, if you have one in this bankruptcy case. (If you do not have
an attorney, you may wish to consult an attorney.)
1. If you do not want the court to grant the relief sought in the motion or if
you want the court to consider your views on the motion, then on or before
February 8, 2006 you or your attorney must do & of the following:
(a) File an answer explaining your position at
The Madison Building
400 Washington Street, 3" Floor
Reading, PA 19601
If you mail your answer to the bankruptcy clerk's office for filing, you must mail; it
early enough so that it will be received on or before the date stated above; and (b)
mail a copy to the movant's attorney:
Shawn M. Long, Esquire
Barley Snydcr, LLC
126 East King Street
Lancaster, PA 17602
Telephone: (717) 399-1512
Facsimile: (717) 291-4660

11:00 AM - 12:30 PM

Peace activist at E-town -- E-town College

A Juniata College official who has spent three decades working to discourage military conflict
will give a talk next week at Elizabethtown College on "Iraq, Vietnam, and the Dilemmas of
Soldiers."
James Skelly, senior fellow at Juniata College's Baker Institute for Peace and Conflict
Studies, will speak Wednesday, Feb. 1, at 11 a.m. in E-town's Gibble Auditorium, in
Esbenshade Hall.
His talk is free and open to the public.
Skelly also is academic coordinator of peace and justice programs for Brethren Colleges
Abroad.
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As a young U.S. military officer, his refusal to serve in Vietnam led to a lawsuit against the
Secretary of Defense that helped redefine the criteria for in-service conscientious objection.
He received an honorable discharge in 1971.

February 02, 2006


Thursday
All Day

Sheryl at the Hard Rock Cafe -- New York, NY

9:00 AM - 9:00 AM

Judge Twardowski Feb 2 Order -- Reading, PA

UNITED STATES BANKRUPTCY COURT


EASTERN DISTRICT 01: PENNSYLVANIA
In Re: Stanley J. Caterbone
DebtoNs) Case No: 05-23059-tmt
Chapter: 11

ORDER
AND NOW, this, 1/31/06 , it appearing that counsel may have attempted to add creditors
after a notice of the meeting
of creditors was served upon all Listed creditors, but failed to file a certificate of service
of the debtor's amended
schedules or amended matrix as required the provisions of Local Bankruptcy Rule 1009.1,
it is hereby
ORDERED that if such certification of service of amended matrix is not filed within twenty
(20) days from the date
of this Order, the case will be closed without any such amendment, and the discharge
and/or claims of exemption of
the debtor(s) may not be effective as to the added creditor(s) upon whom notice was not
served.
By The Court
Thomas M. Twardowski
Judge , United States Bankruptcy Court
12:00 PM - 1:00 PM

Sheryl Concert Hard Rock Cafe -- New York, NY

"Off the Record" concert

February 03, 2006


Friday
8:00 AM - 8:30 AM

Reminder to Artists or AMG/Interscope

Send artists of label welcome letter


12:00 PM - 1:30 PM

Rcvd LC KEGEL KELIN ALMY & GRlMM responst to Fed Civil Action -- Facs to Judge McLaughlin

Advanced Media Group


220 Stone Hill Road
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Friday
Conestoga, PA 17516
February 3, 2006
KEGEL KELIN ALMY & GRlMM LLP
24 North Lime Street
Lancaster, PA 17602
TEL717.392.1100
FAX 717.392.4385
wwwkkaglaw.com
Dear Mr. Kelin:
I am curious to the following statements:
I responded that I would likely not be the attorney of record, and that insurance counsel would
be assigned to defend against any such claim.
Now, would likely not, does not mean that you are or are no? Could you please just tell me if you are? Why
not just say that I am not?
and that insurance counsel would be assigned to defend against any such claim. Caterbone's
complaint
How can I serve the insurance counsel for the case if he is not assigned until after he is served?
Thus, Mr. Caterbone's attempted service was ineffective. In light of your Order datedJanuary
6,2006, his complaint against the Lancaster County Prison and the Lancaster County Sheriffs
Department is subject to dismissal.
So, if you are not attorney of record, than why and how do you have a legal opinion regarding the civil complaint
that I filed?
Now, just for the record, you are aware of Case No. CI-05-03644, which is currently before your courts, is in stark
contrast to your views, actions, and legal opinions regarding the Convention Center?
Respectfully,
Stan J. Caterbone
Cc:

The Honorable Mary A. McLaughlin


United States District Court for the Eastern District of Pennsylvania

www.amgglobalentertainmentgroup.com
infor@amgglobalentertainmentgroup.com
717.799.5915 Phone
717.427-1621 Fax

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Friday
KEGEL KELIN ALMY & GRlMM LLP
24 North Lime Street Lancaster, PA 17602 TEL717.392.1100 FAX717.392.4385 wwwkkaglaw.com

February 2,2006

BY FACSIMILE 1267-299-5071) AWD FIRST-CLASS MAIL

The Honorable Mary A. McLaughlin


United States District Court for
the Eastern District of Pennsylvania
U.S. Courthouse
601 Market Street, Room 13614
Philadelphia, PA 19106-1748
Re: Stanley J. Caterbone v. Lancaster County Prison, et al.. Civil Action No. 05-2288
Dear Judge McLaughlin:
This concerns as pro se lawsuit filed by Stanley J. Caterbone against (among others) the
Lancaster County Prison and the Lancaster County Sheriffs Department.
The County of Lancaster currently is without a Solicitor. In the absence of a Solicitor, I was
appointed Interim Special Counsel to the County on December 29,2005.
Attached is an email I received from Mr. Caterbone on January 16,2006, and my response to
him sent a few minutes later. Mr. Caterbone asked if I would be the "attorney of record" for a
lawsuit against the Lancaster County Prison and the Lancaster County she&. I responded that I
would likely not be the attorney of record, and that insurance counsel would be assigned to
defend against any such claim. Caterbone's complaint. The other was a summons to Lancaster
County Sheriffs Department and a copy of Mr. Caterbone's complaint.
Each package also contained a copy of your Order of January 6,2006, which required service of
process by January 25,2006, and stated that the Court will dismiss Mr. Caterbone's complaint
without prejudice if service is not effected by that date.
Service of the summons and complaint has not been made, because Mr. Caterbone's attempted
service was not proper.

The Honorable Mary A. McLaughlin


February 2,2006
Page 2
Pursuant to Fed. R. Civ. P. 4(j)(2), service upon a government organization shall be effected by
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February 03, 2006 Continued


Friday
delivering a copy of the summons and complaint either to its chief executive officer or by other
means permitted by state law. As I am not the chief executive officer of Lancaster County (or
of its Prison or Sheriffs Department), service was effective only if it was in compliance with
Pennsylvania law.
Mr. Caterbone's attempted service did not comply with state law. Pursuant to Rule 422 of the
Pennsylvania Rules of Civil Procedure, handing a copy to one of the following must make
service of original process on a political subdivision:
(2) the person in charge at the office of the defendant, or 1
(3) the mayor, or the president, chairman, secretary or clerk of the tax levying body
thereof. . . .
I am not an agent duly authorized by the County of Lancaster to receive service of process. I
am not the person in charge of the office of the County of Lancaster. I am not the chairman of
the County Board of Commissioners.
Thus, Mr. Caterbone's attempted service was ineffective. In light of your Order dated
January 6,2006, his complaint against the Lancaster County Prison and the Lancaster County
Sheriffs Department is subject to dismissal.
I would be pleased to provide any further information upon request of the Court.

cc: Mr. Stanley J. Caterbone


Lancaster County Commissioners
Mr. Don Elliott. County Administrator

6:00 PM - 6:00 PM

Sheryl Lance announce split

February 04, 2006


Saturday
9:00 AM - 9:00 AM

Ipod & Ring Missing -- 220 Stone Hill Road, Conestoga, PA 17516

Woke up and found Ipod and Ring Missing. Ipod was crashed and charging in van, was not
there earlier.

February 05, 2006


Sunday
4:00 PM - 4:30 PM

Conestoga Police Speeding Ticket -- Main Street, Conestoga, PA

February 06, 2006


Monday
2:30 AM - 2:30 AM

Ipod Found.

8:00 AM - 8:30 AM

Donegal Policy Due $159

PAE 3015468 faxed to 426-7031

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February 06, 2006 Continued


Monday
10:00 AM - 10:00 AM

Manheim Township Police Order to Dismiss Federal cv05-0288 to Judge McLaughlin


?"

.:-

,\

2005 to the Court requesting permission to amend his "comp


This Court by Order dated January 5,2006, directed Plaintiff to serve his summons and
com~laiubt y Jan- 25,2006.
Township Police Department, the Stone Harbor Police Department, Commonwealth
National Bank, the Lancaster County Prison, and the Avalon Police Department, all by
c e ~ emdai l on January 17,2006. No green cards, i.e., no signed certified mail receipts,
were filed with the Certificates of Service.
4
hues of Fact. a summons. and this Court's Order of
- ''
Set Affidavits A and B. The document sent to Mr.
liDn~ot ice and a rcaucst for waiver of service of summom
w December 3,1987. PlaintifPs 1s
D, E, A (&). Neither document alleges any additional actions on the part of the Police
Department that Plaintiff contends harmed him or denied him any protected rights.
The Manheim Township Police Department is not a separate governmental entity.
It is a department of Manheim Township. Manheim Township has filed a Motion to
Dismiss Plaintiffs "pleading" on behalf of its Police Department on the grounds of
insufficient service of process pursuant to F.R.C.P. 12@)(5) and for failure to state
claim upon which relief can be granted
which relief may be b e c Pi~t 3; 1987, ~hieh
barred by the statute of lia~itatim?
(2) Service upon a state, ~llunicipawl rpmtion, or other
govemmaal oxgauization subject to suit shall be effected by delivering a
copy of the sunrmons and of the wmplaint to its chief executive officer or
by sening the stunmolls and c o m ~ h hint the rnanner prescribed by the law
of that state for the service of mintnom or other like process upon any such
defendant.
F.R.C.P. 4(j)
As set forth in Affidavits A and B attached to the Motion to Dismiss, no service
was effected by delivery. Indeed, PlaintifFs Certificate of Senice states that he did not
attempt service by delivery, but by certified mail. However, Pennsylvania law does not
permit service by certified mail upon a municipal corporation by a citizen of the same
state. Pa. R.C.P. 422 governing service of process on the Commonwe a d on
political subdivis as
(b) Service of original process upon a political subdivision shall
be made by handing a copy to:
(1) an agent duly authorized by tSle politioal ~ i o stao
receive service of process, or ?
(2) the person in charge at the office of the defendant or
(3) the mayor, or the president, chairman, secretary or
clerk of the tax levying body thereof, and in counties where there is no tax
levying body, the chairman or the clerk of the board of county
commissioners.
Pa. R.C.P. 422@).
Having failed to comply with either the Federal Rules of Civil Procedure or the
p e f ~ ~ ~ hR&ulaes of Civil h~%hp%h h a h w
Township or upon its Police Department within the time period set forth in this Court's
Order of January 5,2006.
This case is very similar to Saimath v. Concurrent Technolopies, Cornoration,
227 F.R.D. 399 (W.D. Pa. 2005). In that case, a pro se plaintiff attempted to serve
defendant with a sunnnbns and complaint by certified mail. The defendant received the
summons and complaint and signed a certified mail receipt, which plaintiff filed with the
court with a return of service. The summons and complaint were not accompanied by a
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request for waiver of service of summons. The plaintiff did not complete the return of
service provisions on the summons.
The Defendant filed a motion to dismiss the complaint or to quash seevhr;. The
court found that service
.,
~ennsylvaniaR ules of
corporations as for municipal corporations. The court stated, "Prolpea amvice m b o
effected through a postal service, including &ed mpil." 227 F.R.D. aX 402. TBe
court also stated, "The Court also observes that, 'the party llaakidg the service has the
burden of demonstrating its validity when an objection of service is made."' 227 F.R.D.
at 402 citing Suecart v. U.S. Customs Service, 180 F.R.D. 276,278 (E.D. Pa. 1998).
The ,Swath court concluded that the motion to dismiss should not be granted
because the plaintiff had made a good faith effort to serve the defendant and because
there. was, "the
afforded to pro
procedural technicality." 227 F.R.D. at 404.
Those reasons do not apply to this case. (a) There is no evidence of good faith.
Indeed, Plaintiff has falsely represented service upon the Manheim Township Police
Department. (b) Likewise, Plaintiff should not be extended any leniency because of his
misrepresentations as to service. (c) There is no "reasonable prospect" of service in this
case because the time for service pursuant to this Court's Order of January 5,2006, has
passed. Accordingly, the Motion to Dismiss for insufficiency of service should be
granted.
,tMonlyIf,'thetime
alleged in,@mtcsmt of s claiiusaiows that the. awe of action has not been bae~ ,-;x
within the statute o f ~ t i o n s . '&"~ biasmv . Jobmg~,3 13 ~ . 3 d12 8, 135 (3d Cir.
'Third Circuit Rvlc' allows defendants to raise a limitations defense in a Rule 12@)(6)
motion where the 'time alleged in the statement of a claim shows that the cause of action
has not been brought within the statute of limitations."')
Since it is apparent on the face of Plaintiffs "pleading" that the cause of action
has not been brought within the statute of limitations, Plaintiffs suit, at least to the
Manheim Township Police Department, must be dismissed.
In the event that the Court considers a motion to dismiss is inappropriate,
Date: February 6,2006
Manheim Township requests that the Court grant s u..n .../.. \>. l- -?, m t a -i-t PlainW
ursuant to F.R.C.P. 12@
,..
~.+~~.~ . ~
WHEREFORE, Manheim ~o-sh$ on behalf of its ~6ficeD epartment
respectfully requests that Plaintiffs "pleading"
Fact be dismissed.
HARTMAN UNDERHLL & BRUBAKER LLP
By: 1st Christo~herS . Underhill
Christopher S. Underhill
Attorney I.D. No. 07013
Attorneys for Defendants
221 East Chestnut Street
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that I am serving the foregoing Motion of Manheim
Township on Behalf of its Police Department to Dismiss or in the Alternative for Summary
Judgment Pursuant to F.R.C.P. 12(b)(5) and 12(b)(6) and Brief of Manheim Township on
Behalf of its Police Department in Support of its Motion to Dismiss upon the persons and in
the manner indicated below.
-. - , addr2;Csed as- follo
Stanley J. Cktirbone
220 Stone Hill Road
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Conestoga, PA 1 75 1
Stone Harbor Police Dep
9508 Second Avenue 3088 Dune Drive
Stone Harbor, NJ 08247 Avalon, NJ 08202
Commonwealth National Bank
(Mellon Bank, N.A.)
One Mellon Center, Suite 19 I5
Pittsburgh, PA 15258
Lancaster County Sheriffs Department
50 North Duke Street
P.O. Box 83480
Lancaster, PA 17608-3480
Fulton Financial Co
One Penn Square
Lancaster, PA 17602
HARTMAN UNDERHILL 62 BRUBAKER LLP
Date: February 6,2006 By: Is/ Christo~herS . Underhill
Christopher S. Underhill, Esquire
Attorney I.D. No. 07013
Attorneys for Manheim Township and
its Police Department
22 1 East Chestnut Street
Lancaster, PA 17602
Phone: (717) 299-7254Ra.x: (717) 299-3160
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff,
VS.
MANHEIM TOWNSHIP
POLICE DEPARTMENT, et al.
OF ITS POLICE DEPARTMENT TO DISMISS
OR IN THE ALTERNATIVE FOR SUMMARY J U D G M E ~ PIJFC~UAN~T m&% ci,d2
@)(5) AND 12@)(6]
PlahMs "pleading" ~~ of a;a vservice
pursuant to F.R.C.P. 12QX5) and for f a k e to state a claim on which relief can
be granted pursuant to F.R.C.P. 12@)(6) and avers in support thereof the following:
1. Plaintiff filed a Certificate of Service on January 23,2006, averring that he
served the Manheim Township Police Department by sending a copy of his "pleading" by
of the Manheim Township Police Department was filed with the Certificate.
2. The Manheim Township Police Department is not a separate governmental
entity. It is simply a department of Manheim Township.
3. Plaintiffs "pleading" was never sewed upon Chief Rager or any other
member of the Manheim Township Police Department or on any other person employed
by Manheim Township by certified mail or by any other means, all as set forth in the
Affidavits of Chief Rager and the Township Manager, James M. Martin, attached hereto
as Exhibits A and B, respectively.
. . ..
4. Plaintiff did send a wpy ofhis "- M,c " ;I . .'..'... .'+c.. : , . . ..<~ .*, ;. .<.> . , I .. . , . .,i
Order of ~ a n u G5,2 006, by ~edera~l &ressto George T. ~rubakera, 'partner in the la>;
fm of undersigned counsel.
5. Mr. Brubaker was
Department to accept service of any "pleading" by Plaintiff as set forth in the Affidavits
attached as Exhibits A and B.
6. The "pleading" was not accompanied by a notice or a request for waiver of
senice of summons pursuant to F.R.C.P. 4(d).
7. The only allegations regarding the Manheim Township Police Department
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Monday
in either the Affidavit or the Findings of Fact are allegations of an alleged improper arrest
on September 3, 1987. m a 4
8. These allegations are clearly barred by the statute of limitations.
9. Plaintiffs "pleading" does not remotely resemble a complaint as required by
F.R.C.P. 3. It does not contain a "short and plain statement of the ground upon which this
court's jurisdiction depends or a short and plain statement of the claim showing the
pleader is entitled to relief or even a demand for judgment for the relief plaintiff seeks",
all as required by F.R.C.P. 8(a).
WHEREFORE, Manheim Township, on behalf of its Police Deparbnent, requests
that the Plaintiffs "pleading" consisting of an Mdavit and Findings of Fact be dismissed
because service was not obtained by January 25,2006, as requiredbytimCkBQ&W
.: .... ,
Court of January 5,2006, and because the
relief may be grantee*speccfuuy submitted,
Dated: February 6,2006
Attorney LD. No. 07013
Attorneys for Manheim Township
and its Police Department
221 East Chestnut Street
Lancaster, PA 17602
Phone: (717) 299-7254, Fax: (717) 299-3 160
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff,
Paul D. Ragcrs being dHly - , .
..
2. That the Manhem Town&@ Police is not a wpmtc entity, bru
3. That neither he nor any other person in the Mdeim Township Police
Department has been served with Plaintiffs "pleading" by certified mail or by any other
means.
4. That George T. Brubaker has never been authorized to accept service of any
5. The facts set forth in this Aflidavit are true and correct to the best of his
knowledge, information and belief. h Pau D. Rager
Sworn to and subscribed :
before me this [dth day of :
6 h ruac,
- --. -,2006 NOTARIAL SEAL j 1 %!aile R. Fisher, Notary Public 1
?-G.b&$de !\:a. :i 3t!;m Township, Lancaiter County
Notary Public - . . . . .. . .- . . . . . !
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
S?ANLEY J. CATERBONE,
Plaintiff,
VS .
James M. Martin, being duly swam acuxd@.&..-, .W. t bWb
That the Manheim Townsb$ ~ a e e a c l r ~ t e @ , b
is a department of Mdeim Township.
3. That neither he nor any. o ther person employed by Manheim Township
Police has been served with Piaintifps "pleading" by certified mail or by any other means.
4. That George T. Brubaker has never been authorized to accept service of any
legal papers on behalf of Manheim Township or its Police Department.
knowledge, information and belief.
Sworn to and subscribed :
before me this day of :
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Febcw*+( ,2006
I, &h .a/Notary Public
COMMONWEALTH OF PENNSYLVAMA
UldaM.oiPma.NcgryPlrbso
Manbar, Pennsylvania Asszdatlon W Not.rLa
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE.
Plaintiff,
* . C WAC TION NO.: 05-2288
MANHEIM TOWNSHIP . L. & ;tIi-a' *d,.' : @ . %.- .i u;g~~i, ~ I': : ;, ::
--.-s%. :L. .>
% - POLICE DEPARTMENT, et al.
. . ~.
! ' i~
HARTMAPJ.UNDERHILLr& BRUBAKER LLP
Dated: February 6,2006 By: Is1 Christo~herS . Underhill
Christopher S. Underhill
Attorney I.D. No. 07013
Attorneys for Manheim Township
Police Department
221 East Chestnut Street
t:
. .. ., .. : . . , < *,I i
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that I am serving the foregoing Praecipe for Entry of
Appearance upon the persons and in the manner indicated below.
Service by First Class Mail, addressed ae f o W
Stanley J. Catdone
22OOSmYHDlRorl [m Conestoga, PA 17516 ,
, .. .::.%. .>."-&
... .. .. "... - .. . . .. ., : 4. ] . .. , . . . . . . .,
Stone Harbor Police Department Avalon Police Department
9508 Second Avenue
Stone Harbor, NJ 08247
Commonwealth National
(Mellon Bank, N.A.)
One Mellon Center, Suite 1915
Pittsburgh, PA 15258
Fulton Financial Corporation
One Penn Square
Lancaster, PA 17602
HARTMAN UNDERHILL & BRUBAKER LLP
Christopher S. Underhill, Esquire
Attorney I.D. No. 07013
Attorneys for Manheim Township and
its Police Department
22 1 East Chestnut Street
Lancaster, PA 17602
Phone: (717) 299-7254Fa.x: (717) 299-3 160

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5:00 PM - 5:30 PM

Drew Anthon MOTION TO ANSWER PRELIMINARY OBJECTIONS -- 220 Stone Hill Road, Conestoga, PA
17516

IN THE COURT OF COMMON PLEAS LANCASTER COUNTY,


PENNSYLVANIA
CIVIL DIVISION

PROJECT HOPE
ADVANCED MEDIA GROUP
220 Stone Hill Road
Conestoga, PA 17516
Plaintiff

Case No. CI-05-03644

DREW ANTHON,
(MA)EDEN RESORT INN
222 Eden Road
Lancaster, PA 17601
Defendant

MOTION TO ANSWER PRELIMINARY OBJECTIONS


Plaintiff files the following opinion to the Defendants PRELIMINARY OBJECTIONS OF
DEFENDANTS filed on January 24, 2006 requesting the courts to dismiss this case.

1.

CONFLICT OF INTEREST: McNeese, Wallice, & Nurick are named as my


corporate attorneys in 1986 and are named in a Civil Action with the United States
District Court for the Eastern District of Pennsylvania Honorable Judge Mary A.
McLaughlin Case No. 05-2288.

2.

Medical Expenses from Lower Back Pain Due To Stress Excelsior Place Business Plan Fees UPS Store Lost Opportunity ___________
SUB TOTAL

$5,184.00
$7,000.00
$10,000.00

$22,118.00

ATTORNEY FEES AND ADMINISTRATION -

2,000.00

$24,118.00

TOTAL -

February 08, 2006


Wednesday
8:00 AM - 8:00 AM

Fulton Auto Stay Motion Due

1. If you do not want the court to grant the relief sought in the motion or if you want the
court to consider your views on the motion, then on or before February 8, 2006 you or your
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attorney must do & of the following:
(a) File an answer explaining your position at
The Madison Building
400 Washington Street, 3" Floor
Reading, PA 19601
If you mail your answer to the bankruptcy clerk's office for filing, you must mail; it early
enough so that it will be received on or before the date stated above; and
(b) mail a copy to the movant's attorney:
Shawn M. Long, Esquire
Barley Snydcr, LLC
126 East King Street
Lancaster, PA 17602
Telephone: (717) 399-1512
Facsimile: (717) 291-4660
2. If you or your attorney do not take the steps described in paragraphs l(a) and l(b)
above and attend the hearing, the court may enter an order granting the relief requested in the
motion.
3. A hearing on the motion is scheduled to be held before the Honorable Thomas M.
Twardowski

on February 21, 2006, at 9;30 a.m. in Courtroom 1, United States Bankruptcy


Court, 400 Washington Street, Reading, PA 19603.
4. If a copy of the motion is not enclosed, a copy of the motion will be provided to
you if you request a copy rom the attorney named in paragraph 10).
5. You may contact the Bankruptcy Clerk's office at 610-320-5255 to find out
whether the hearing has been canceled because no one filed an answer.
Date: January 24,2006

8:00 PM - 11:00 PM

2006 Grammy's -- Stape Center, Los Angelos

2006 GRAMMY AWARDS ON CBS


The Grammy Awards will open with a meeting of the Material Girl and the virtual world.
Madonna and Gorillaz will perform together for the first time at the 48th Annual Grammy
Awards, which will be presented Wednesday at Staples Center in Los Angeles.
The 47-year-old pop star will sing with the Gorillaz, who will be appearing in 3-D animated
color. The brainchild of Blur frontman Damon Albarn, Gorillaz are a melding of rock and hiphop that represents band members as cartoon alter-egos created by animator Jamie Hewlett.
Paul McCartney has been added to the list of performers, the Recording Academy announced
Thursday, who also include Mariah Carey, John Legend, Kanye West, Bruce Springsteen, U2
with Mary J. Blige, Coldplay, Faith Hill with Keith Urban, Sugarland and Jamie Foxx.
It will be McCartney's first ever performance at the Grammys, the Academy said. This year,
he is nominated for three awards, including album of the year for "Chaos and Creation in the
Backyard."
The Gorillaz are nominated for four Grammys, including record of the year for "Feel Good
Inc.," which features De La Soul.
Madonna, who has won five Grammys, released "Confessions on a Dance Floor" in
November. She is not nominated this year.
The Grammys will be broadcast by CBS at 8 p.m.
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2006 GRAMMY AWARDS ON


CBS
Mariah Carey ended her 16-year Grammy drought, but rock gods U2 smashed her comeback
queen dreams by snatching five trophies Wednesday, including song and album of the year.
Carey, one of the best-selling artists of all time, hadn't won a Grammy since her first two as a
fresh-faced ingenue in 1990. This year, she was nominated for a leading eight and won three
in the pre-telecast ceremony. No woman had ever won more than five in one night.
But Carey was shut out through the entire televised portion, losing twice to U2, once to Green
Day for record of the year and once to former American Idol Kelly Clarkson for best female
pop vocal performance.
"If you think this is going to go to our head, it's too late," U2 frontman Bono said after the
group won song of the year.
After winning the night's big award, album of the year, Bono told Carey, "You sing like an
angel."
John Legend won three awards: best new artist, best R&B album for his debut, "Get Lifted,"
and best male R&B vocal for the piano ballad "Ordinary People." His mentor, Kanye West,
also won three.
Clarkson won two, including best pop album.
"I'm sorry I'm crying again on national television," said Clarkson, tearful and shaking as she
held her first Grammy. "Thank you so much, you have no idea what this means to me."
The highlight of the show was the appearance of Sly Stone, the mercurial, psychedelic
pioneer who disappeared from the music scene decades ago and hadn't performed in public
since 1993.
Toward the end of a sizzling all-star tribute, Stone emerged sporting a pale Mohawk against
his 61-year-old brown scalp and made his way through one of his biggest smashes, "I Want
To Take You Higher." Though the tribute was planned, many didn't expect Stone -- who
hasn't performed in public in years -- to show up.
Keith Urban was answering questions backstage when Stone's performance began playing on
a nearby monitor, and he had to stop talking.
"I think we just got upstaged," Urban said in amazement. "Everything pales in comparison."
Aside from winning the most awards, U2 provided one of the more rousing performances in
the jam-packed show as they sung their hit "Vertigo," then collaborated with R&B queen Mary
J. Blige's gospel-inflected fervor for their classic "One."
West's three Grammys matched his total for last year. The brash rapper/producer played up
(or lived up to) his egotistical reputation as he won best rap album for "Late Registration.
"I had no idea, I had no idea," West said in mock shock as he pulled a huge sheet of paper
that read "Thank You List."
Alison Krauss & Union Station also won three awards, including best country album, while
Stevie Wonder, who released his first album in 10 years last year, had two.
The show started off on a two-dimensional note as the cartoon-fronted rock group Gorillaz
performed their record of the year contender, "Feel Good Inc." with the help of animation, a
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Wednesday
blue screen and guest rappers De La Soul. The performance then segued into a Madonna
moment, as the pop queen -- who was not nominated for any awards -- shimmied through the
Gorillaz' virtual space while singing her latest hit, "Hung Up."
A brief, impromptu performance by Alicia Keys and Wonder was the first to energize the
crowd. Wonder pulled out his harmonica and the two soulfully sang his classic "Higher
Ground" as a tribute to the late Coretta Scott King, who was buried Tuesday.
"Let's keep trying to reach that higher ground," singer Keys said. "I forever want to reach that
higher ground."
Winners at Wednesday's 48th Annual Grammy Awards:
Album of the Year: "How to Dismantle an Atomic Bomb," U2.
Record of the Year: "Boulevard of Broken Dreams," Green Day.
New Artist: John Legend
Male R&B Vocal Performance: "Ordinary People," John Legend.
Pop Vocal Album: "Breakaway," Kelly Clarkson.
Rap/Sung Collaboration: "Numb/Encore," Jay-Z featuring Linkin Park.
Song of the Year: "Sometimes You Can't Make It on Your Own," U2.
Female Pop Vocal Performance: "Since U Been Gone," Kelly Clarkson.
Country Album: "Lonely Runs Both Ways," Alison Krauss and Union Station.
Rap Album: "Late Registration," Kanye West.
Rock Album: "How to Dismantle an Atomic Bomb," U2.
Rap Solo Performance: "Gold Digger," Kanye West.
Rap Performance by a Duo or Group: "Don't Phunk With My Heart," The Black Eyed Peas.
Rap Song: "Diamonds From Sierra Leone," D. Harris and Kanye West.
Solo Rock Vocal Performance: "Devils & Dust," Bruce Springsteen.
Rock Performance by a Duo or Group With Vocal: "Sometimes You Can't Make It on Your
Own," U2.
Hard Rock Performance: "B.Y.O.B.," System of a Down.
Metal Performance: "Before I Forget," Slipknot.
Rock Instrumental Performance: "69 Freedom Special," Les Paul and Friends.
Rock Song: "City of Blinding Lights, U2, (U2).
Alternative Music Album: "Get Behind Me Satan," The White Stripes.
Female R&B Vocal Performance: "We Belong Together," Mariah Carey.
R&B Performance by a Duo or Group With Vocals: "So Amazing," Beyonce and Stevie
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Wonder.
Traditional R&B Vocal Performance: "A House Is Not a Home," Aretha Franklin.
Urban/Alternative Performance: "Welcome to Jamrock," Damian Marley.
The highlight of the show was the appearance of Sly Stone, the mercurial, psychedelic
pioneer who disappeared from the music scene decades ago and hadn't performed in public
since 1993.

February 09, 2006


Thursday
11:00 AM - 11:30 AM

Fulton Bank Order to Dismiss Federal cv-0288 Judge McLaughlin

Motions
2:05-cv-02288-MAM CATERBONE v. LANCASTER COUNTY PRISON et al

United States District Court


Eastern District of Pennsylvania
Notice of Electronic Filing
The following transaction was received from CARFLEY, STEPHANIE entered on 2/9/2006 at 4:39
PM EST and filcd on 2/9/%06
Case Name: CATERBONE v. LANCASTER COUNTY PRISON et a1
Case Number: 2:05-cv-2288
Filer: FULTON BANK
Document Number: l7
Docket Text:
MOTION to Dismiss filed by FULTON BANK.Certificate of Service. (Attachments: # (1) Text of
Proposed Order)
(CARFLEY, STEPHANIE)
The following document(s) are associated with this transaction:
Document descripti0n:Mai.n Document
Original filename:da
Electronic document Stamp:
[STAMP dcecfStam~ ID=1001600548 IDate=2/9/20061 IFileNumbe~l882382-01
Document description:Text of Proposed Order
Original filename:da
Electronic document Stamv:
2:05-cv-2288 Notice will be electronically mailed to:
STEPHANIE CARFLEY scarfley@barley.com, kgarner@barley.com; tranck@barley.com;
easterndistrict@barley .corn
GEORGE M. GOWEN, 111 ggowen@cozen.com
CHRISTOPHER S. UNDERHILL chrisu@hublaw.com,
2:05-cv-2288 Notice will be delivered by other means to:
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
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IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff
LANCASTER COUNTY PRISON, MANHEIM :
TOWNSHIP POLICE DEPARTMENT, STONE :
HARBOR POLICE DEPARTMENT, AVALON : JURY TRIAL DEMANDED
POLICE DEPARTMENT, COMMONWEALTH :
NATIONAL BANK (i.e. MELLON BANK),
SOUTHERN REGIONAL POLICE
DEPARTMENT, LANCASTER COUNTY
SHERIFFS DEPARTMENT, FULTON BANK :
Defendant

ORDER
AND NOW, this __ day of ,2006, upon consideration of Defendant Fulton Bank's Motion to Dismiss
Plaintiffs Complaint, its Brief in support thereof and any response thereto, it is hereby ORDERED
AND
DECREED that Fulton's Motion is GRANTED and Plaintiffs Complaint is DISMISSED WITH
PREJUDICE.

BY THE COURT:
Mary A. McLaughlin, J.

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
PIaintiff
LANCASTER COUNTY PRISON, MANHEIM
TOWNSHIP POLICE DEPARmENT, STONE
HARBOR POLICE DEPARTMENT, AVALON
POLICE DEPARTMENT, COMMONWEALTH
NATIONAL BANK (i.e. MELLON BANK),
SOUTHERN REGIONAL POLICE
DEPARTMENT, LANCASTER COUNTY
SHERIFFS DEPARTMENT, FULTON BANK
Defendant

JURY TRIAL DEMANDED

DEFENDANT FULTON BANK'S MOTION TO


DISMISS PLAINTIFF'S COMPLAINT
Defendant, Fulton Bank, by and through its attorneys, Barley Snyder, LLC, hereby moves this
Court pursuant to Rule 12(b) of the Federal Rules of Civil Procedure to dismiss Plaintiff's Complaint.
In support thereof, Defendant avers as follows:
1. On or about May 16, 2005, Plaintiff, Stanley J. Caterbone ("Caterbone")
filed a pro se Complaint against Fulton Bank ("Fulton") and various other Defendants.
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2. Although Fulton received a copy of the Summons, Fulton was not sewed
with a copy of the Complaint within the 120 day time limit provifed by Rule 4(m) of the
Federal Rules of Civil Procedure.
3. Upon information and belief, on or about December 17, 2005, Plaintiff
sent a letter to this Honorable Court requesting leave to amend the Complaint and a
hearing.
4. By Order dated January 5,2006, the Court directed Plaintiff to serve
Defendants with the Summons and Complaint by January 25,2006 or face dismissal of
the Complaint without prejudice.
5. In that Order, the Court also denied a Motion to File the Complaint under
Seal that apparently was filed by Plaintiff, but never served upon Fulton.
6. On January 20,2006, Fulton received via priority mail a copy of the
Court's Order of January 5,2006, the Summons and two (2) documents entitled
"Affidavit of Stanley J. Caterbone" and "Findings of Fact" which are believed to
collectively constitute the Complaint (hereinafter referred to as the "Complaint").
7. There are several defects andlor deficiencies in Plaintiffs Complaint.
Therefore, Fulton files the following Motion to Dismiss pursuant to Federal Rule of Civil
Procedure 12(b).

MOTION TO DISMISS FOR LACK OF


SUBJECT MATTER JURISDICTION
8. To the extent that Plaintiff is asserting that this Court has jurisdiction over
his claims by virtue of an alleged diversity of citizenship pursuant to 28 U.S.C. 91332,
Plaintiffs Complaint must be dismissed for lack of subject matter jurisdiction.
9. Section I332 requires that complete diversity exist between the parties,
which means that in order for the Court to have jurisdiction, the plaintiff cannot be a
citizen of the same state as any of the defendants. Grand Union Suuemarkets of
V.I.. Inc, v. H.E. Lockhart Management. Inc., 3 16 F.3d 408 (3d Cir. 2003).
10. In other words, in order to invoke diversity of citizenship as a basis for
federal subject matter jurisdiction, a plaintiff must show that he/she does not share
citizenship with of the defendants. Owen Equipment & Erection Co. v. Kroper, 437
U.S. 365,98 S.Ct. 2396,57 L.Ed.2d 274 (1978); Grand Union, 316 F.3d at 410.
11. Diversity jurisdiction exists only when all plaintiffs are of different
citizenship than all defendants. Stanley v. Exxon Cow., 824 F. Supp. 52 (E.D. Pa. 1993).
12. It is evident from the Complaint itself that complete diversity of citizenship between Plaintiff and
all of the Defendants does not exist here.
13. In the instant case, Plaintiff is a citizen of the Commonwealth of
Pennsylvania. However, Defendants Fulton, Lancaster County Prison, Manheim
Township Police Department, Commonwealth National Bank, i.e. Mellon Bank, and
Lancaster County Sheriffs Department are also citizens of Pennsylvania.
14. Since Plaintiff is a citizen of the same state as numerous Defendants,
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complete diversity does not exist and this Court does not have subject matter jurisdiction
over the instant claim under 28 U.S.C. 9 1332.
15. Plaintiffs Complaint defeats, rather than establishes, federal subject
matter jurisdiction in this action based upon diversity of citizenship.
16. Accordingly, to the extent that Plaintiffs Complaint alleges that
jurisdiction in this case is based upon diversity of citizenship, it must be dismissed.
WHEREFORE, Defendant Fulton Bank respectfully requests that this Honorable
Court grant its Motion and dismiss Plaintiffs Complaint against it with prejudice.
MOTION TO DISMISS FOR IMPROPER SERVICE
17. The Complaint should also be dismissed because Plaintiff failed to comply
with the requirements of Rule 4 of the Federal Rules of Civil Procedure regarding service
of the Complaint.
18. Rule 4(e) of the Federal Rules of Civil Procedure states:
Unless otherwise provided by federal law, service upon an
individual from whom a waiver has not been obtained and filed,
other than an infant or an incompetent person, may be effected in
any judicial district of the United States: (1) pursuant to the law of
the state in which the district court is located, or in which service is
effected, for the service of the summons upon the defendant in an
action brought in the courts of general jurisdiction of the State; or
(2) by delivering a copy of the summons and of the complaint to
the individual personally or by leaving copies thereof at the
individual's dwellin-e house or usual dace of abode with some
person of suitable age and discretion then residing therein or by
deliverin-g a co.py. of the summons and of the complaint to an agent
authorized by appointment or law to receive service of process.
19. Pennsylvania Rule of Civil Procedure 402 governs the manner of service
in the Commonwealth of Pennsylvania and provides that original process &ay be served:
(1) by handing a copy to the defendant; or
(2) by handing a copy (i) at the residence of the defendant to an adult
member of the family with whom he resides; but if no adult member of the
family is found, then to an adult person in charge of such residence; or (ii)
at the residence of the defendant to the clerk or manager of the hotel, inn,
apartment house, boarding house or other place of lodging at which he
resides; or (iii) at any office or usual place of business of the defendant to
his agent or to the person for the time being in charge thereof.
20. In the instant case, Plaintiff sewed Fulton with the Summons and
Complaint via priority mail on January 20,2006.
21. Mailing copies of the Summons and Complaint is insufficient to effect
service under the Federal Rules or the Pennsylvania Rules of Civil Procedure for a
defendant who is located in the Commonwealth of Pennsylvania.
22. Accordingly, proper service has not been made upon Fulton.
23. Nor has Plaintiff made a showing of good cause for his failure to properly
serve the Summons and Complaint upon Fulton. See e.p. Barrett v. City of Allentown,
152 F.R.D. 46,49 (E.D. Pa. 1993) (plaintiffs' pro se status or lack of knowledge of
procedural rules does not constitute good cause for failing to effect proper service).
24. Accordingly, Plaintiffs Complaint should be dismissed in its entirety.
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WHEREFORE, Defendant Fulton Bank respectfully requests that this Honorable
Court grant its Motion and dismiss Plaintiffs Complaint against it with prejudice.
MOTION TO DISMISS FOR FAILURE TO STATE A CLAIM
WON WHICH RELIEF MAY BE GRANTED
25. l'he Complaint filed by Plaintiff in connection with this matter consists of
eighty-seven (87) pages of single-spaced text.
26. In those eighty-seven (87) pages, Fulton is only mentionedpn Pagcs 55,
56,80,81 and 86.
27. On Pages 55 and 56 of the Complaint, Plaintiff alleges that on August 2,
1990, Fulton "embezzled $5,000 from the checking account of Stan Caterbone due to an
error by Fulton Bank's accounting" and "refused to credit the account for more than 60
days, without crediting the lost interest income."
28. On Pages 80 and 8 1, Plaintiff alleges that in 1996, his brother, Tom
Caterbone, presented a check for deposit to Fulton on at least three (3) occasions and that
Fulton refused to deposit the check on each occasion because there were insufficient
funds in the account from which the check was to be drawn.
29. On Page 86, Plaintiff merely alleges that Fulton is a limited partner in
Penn Square Partners.
30. Plaintiff provides no further factual or other support for his claims.
3 1. Based on these bare allegations, it is unclear from the Complaint exactly
what claims Plaintiff is attempting to assert against Fulton.
32. However, to the extent that Plaintiff is attempting to set forth a claim
against Fulton on Pages 55 and 56 of the Complaint for unjust enrichment, he has failed
to state a claim upon which relief can be granted.
33. Unjust enrichment is a quasi-contractual doctrine based in equity which
requires the following elements: (1) benefits conferred on a defendant by plaintiff; (2)
appreciation of such benefits by defendant; and (3) acceptance and retention of the
benefit without payment of value. Wiemik v. PHH U.S. Mortgage Corn., 736 A.2d 616,
622 (Pa. Super. 1999), appeal denied, 561 Pa. 700,751 A.2d 193 (2000).
34. Nowhere in the Complaint does Plaintiff allege that Fulton "appreciated"
the benefit of the allegedly embezzled $5,000; rather, Plaintiffs ~om~laim~a;kte s clear
that the "embezzlement" by Fulton was the result of an accounting error, not an
intentional act by Fulton.
35. Nor does Plaintiff allege that Fulton accepted or retained any benefit
without payment of value to Plaintiff.
36. To the contrary, it is clear from Plaintiffs Complaint that Fulton corrected
the error and credited the $5,000 back to Mr. Caterbone's account.
37. Even accepting the above-referenced allegations of Plaintiffs Complaint
as true, the Complaint fails to state a valid claim for unjust enrichment upon which relief
may be granted.
38. Accordingly, dismissal of the cause of action set forth on Pages 55 and 56
of Plaintiffs Complaint is warranted and appropriate.
39. Like his allegations on Pages 55 and 56, the exact claim being advanced
by Plaintiff on Pages 80 and 8 1 of the Complaint is unclear.
40. Plaintiff alleges that in 1996, his brother, Tom Caterbone, presented a
check for deposit to Fulton on several occasions and Fulton refused to deposit the check
because there were insufficient funds in the account from which the check was to be
drawn.
41. To the extent that Plaintiff is attempting to set forth a claim for common
law fraud, the allegations set forth on Pages 80 and 81 fail to state a cognizable claim
against Fulton upon which relief may be granted.
42. At common law, fraud consists of: (1) a representation made by the
defendant; (2) which is material to the transaction at hand; (3) made falsely, with
knowledge of its falsity or recklessness as to whether it was true or false; (4) with the
intent of misleading another into relying on it; (5) justifiable reliance on the
misrepresentation; and (6) damage to the plaintiff as a result of such reliance. Gibbs v.
m, 538 Pa. 193,207,647 A.2d 882,889 (1994).
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43. In the instant case, even accepting Plaintiffs allegations as true, it is clear
from the Complaint that Fulton made no representations, false or otherwise, to Plaintiff
regarding the check at issue.
44. Rather, the check referenced on Pages 80 and 81 of the Complaint was
made payable to and was presented to Fulton by Plaintiffs brother, Tom Caterbone, not
Plaintiff.
45. Nor has Plaintiff pled any justifiable reliance by him on the alleged
representations made by Fulton regarding the refusal to deposit the check.
46. Finally, Plaintiff has not alleged, and cannot prove, any resulting damage
or injury to him caused by his reliance on Fulton's alleged representations.
47. Accordingly, dismissal of the cause of action set forth on Pages 80 and 81
of Plaintiffs Complaint is appropriate for failure to state a claim upon which relief may
be granted.
WHEREFORE, Defendant Fulton Bank respectfully requests that this Honorable
Court grant its Motion and dismiss Plaintiffs Complaint against it with prejudice.
MOTION TO DISMISS BASED UPON THE
EXPIRATION OF THE STATUTE OF LIMITATIONS
48. Plaintiffs Complaint should also be dismissed under Rule 12(b)(6)
because the Complaint demonstrates, on its face, that the statute of limitations on
Plaintiffs claims against Fulton has expired,
49. Where it appears from the face of the pleading that the complaint is timebarred,
a motion to dismiss for failure to state a claim is proper. Oshiver v. Levin,
Fishbein, Sedran & Beman, 38 F.3d 1380, 1384-85 (3d Cir. 1994), on remand, 910 F.
Supp. 225. See also Sabo v. Parisi, 583 F. Supp. 1468 (E.D. Pa. 1984).
50. The facts as pled in the Complaint on Pages 55-56 and 80-81 demonstrate
that Plaintiffs claims date back to 1990 and 1996, respectively.
51. Additionally, it is clear from the Complaint that Plaintiff was aware at the
time of the facts giving rise to his asserted claims.
52. Accordingly, the statute of limitations has expired on Plaintiffs claims for
unjust enrichment and common law fraud. Calle v. York Hospital, 232 F.Supp.2d 353,
359-60 (M.D.Pa. 2002); Fine v. Checcio, 870 A.2d 850, 857 (Pa. 2005) (statute of
limitations for common law fraud is two-years and begins to run from the moment the
right to bring an action arises, regardless of lack of knowledge, mistake or
misunderstanding); Cole v. Lawrence, 701 A.2d 987,989 (Pa. Super. 1997) (unjust
enrichment claim action is subject to a four-year statute of limitations, as it constitutes a
contract implied-in-law).
53. Since the statute of limitations on Plaintiffs claims against Fulton has
long since expired, the Complaint should be dismissed, with prejudice, for failure to state
a claim upon which relief may be granted.
WHEREFORE, Defendant Fulton Bank respectfully requests that this Honorable
Court grant its Motion and dismiss Plaintiffs Complaint against it with prejudice.
MOTION TO DISMISS FOR LACK OF STANDING
54. Plaintiffs claim that Fulton rehsed to accept a check presented for
deposit by his brother must also fail because Plaintiff does not have standing to assert this
claim against Fulton.
55. In order to establish standing in a federal court "[a] plaintiff must allege
personal injury fairly traceable to the defendant's allegedly unlawful conduct and likely
to be redressed by the requested relief." Allen v. Wright. 468 U.S. 737,750, 104 S.Ct.
3315 (1984).
56. In the area of standing, the United States Supreme Court "has consistently
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stressed that a plaintiffs complaint must establish that he has a 'personal stake' in the
alleged dispute, [and] that the alleged injury suffered is particularized as to him." Raines
w, 521 U.S. 81 1,819,117 S.Ct. 2312 (1997).
57. It is also well established that an "abstract injury" or "generalized
grievance'' is insufficient to meet the requisite standing requirements. Streater v. U.S.
Devt, of Transp., No. 95-2162,1996 WL 134807 at *4 (E.D.Pa. March 25,1996).
58. In the instant case, Plaintiff has not alleged that he has suffered any
particularized personal injury in relation to the claim set forth on Pages 80 and 81 of the
Complaint.
59. In essence, through his allegations, Plaintiff simply voices his disapproval
over Fulton's handling of the check presented by his brother.
60. This general grievance is insufficient to establish standing in this Court.
61. Nor has Plaintiff established that he has the right to bring an action on
behalf of his deceased brother.
62. Plaintiff is not the Executor of the Estate of Tom Caterbone. Rather,
Plaintiffs other brother, Steven Caterbone, was appointed the personal representative of
the Estate.
63. Since Plaintiff has failed to allege or demonstrate any personal injury that
would give him standing to assert the claim set forth on Pages 80 and 81 of the
Complaint, this claim should be dismissed, with prejudice, pursuant to Fed.R.Civ.P.
12(b)(l).
64. Further reasons in support of this Motion are set forth in Fulton's Brief in
Support of the Motion to Dismiss Plaintiffs Complaint which is incorporated by
reference herein.

WHEREFORE, Defendant Fulton Bank respectfully requests that this Honorable


Court grant its Motion and dismiss Plaintiffs Complaint against it with prejudice.
Respectfully submitted,
BARLEY SNYDER, LLC
Dated: February 9,2006 By: 1st Stephanie Carflev
Stephanie Carfley, Esquire
Attorneys for Defendant Fulton Bank
126 East King Street
Lancaster, PA 17602-2893
(717) 299-5201
Court I.D. No. 79136

CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing Motion to Dismiss Plaintiffs
Complaint has been served this 9th day of February ,2006, by first class mail, postage prepaid, upon:
Stanley Caterbone Lancaster County Prison
220 Stone Hill Road 625 East King Street
Conestoga, PA 17516 Lancaster, PA 17602-3 199
Stone Harbor Police Department Avalon Police Department
9508 Second Avenue 3088 Dune Drive
Stone Harbor, NJ 08247 Avalon, NJ 08202
George M. Gowen, 111, Esquire Lancaster County Sheriffs Department
Cozen O'Connor 50 North Duke Street
1900 Market Street P.O. Box 83480
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Philadelphia, PA 191 03 Lancaster, PA 17608-3480
Christopher S. Underhill, Esquire
Harhnan, Underhill & Brubaker, LLP
221 East Chestnut Street
Lancaster, PA 17602
The foregoing document has also been filed electronically and is available for
viewing and downloading on the ECF system.

BARLEY SNYDER LLC


By: 1st Ste~hanieC arfley
Stephanie Carfley, Esquire
Attorneys for Defendant Fulton Bank
126 East King Street
Lancastcr, PA 17602-2893
(71 7) 299-5201
Court I.D. No. 79136

11:00 AM - 11:00 AM

Mellon Bank Request to Judge McLaughlin Order for Extension of Time


PHILADELPHIA ATLANTA CHARLOTTE CHERRY HILL CHICAGO DALLAS DENVER HOUSTON LA5 VEGAS
LONDON NEW YORK NEWARK SAN DIEGO SAN FQANCISCO SEATTLE TRENTON WASHINGTON, DC WEST
CONSHOHOCKEN WICHITA WIIMINGTON LOS ANGELES A PROFESSIONAL CORPORATION

1900 MARKET STREET PHIIADELPHIA, PA 19103-3508 215665,2000


800.523.2900 215.665.2013 FAX
www.coren.com

February 8,2006
VIA FIRST CLASS MAIL
Stuart A. Weiss
Direct Phone 215.665.4796
Direct Fax 215.701.2066
sweiss@cozen.com
The Honorable Mary A. McLaughlin
United States District Court for the Eastern
District of Pennsylvania
601 Market Street
Philadelphia, PA 19106
Re: Caterbone v. Lancaster County Prison, et al., 2:05-CV-2288
Dear Judge McLaughlin:
Enclosed please find a courtesy copy of the Motion of Mellon Bank, N.A. for an
Extension of Time, which was filed with the Clerk of Court via ECF today.
Sincerely,
COZEN O'CONNOR
By: Stuart A. Weiss
SAW
Enclosure
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cc: Stanley J. Caterbone (w/ encl.)
George M. Gowen 111, Esquire (w/ encl.)
Christopher S. Underhill, Esquire (w/ encl.)
Avalon Police Department (w/ encl.)
Fulton Financial Corporation (w/ encl.)
Lancaster County Prison (w/ encl.)
Lancaster County Sheriffs Department (w/ encl.)
Stone Harbor Police Department (w/ encl.)

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA

STANLEY J. CATERBONE,
Plaintiff,

I
Civil Action No. 2:05-cv-2288-MAM

LANCASTER COUNTY PRISON, et al.,


Defendants.

MOTION OF MELLON BANK, N.A.


FOR AN EXTENSION OF TIME
Mellon Bank, N.A. ("Mellon") hereby moves for a 14-day extension of time in which to respond to the
Complaint. The reasons for Mellon's motion are set forth in the accompanying memorandum of law.

Dated: February 8,2006

S/ George M. Gowen III


George M. Gowen III
COZEN O'CONNOR
1900 Market Street
Philadelphia, PA 19 103
Tel. (215) 665-2000
Fax (215) 665-2013
Attorneys for Mellon Bank, N.A.

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTIUCT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff,.
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v.
LANCASTER COUNTY PRISON, et al.,
Defendants
MEMORANDUM IN SUPPORT OF MOTION OF
MELLON BANK, N.A. FOR AN EXTENSION OF TIME

Mellon Bank, N.A., ("Mellon") respectfully submits this memorandum in support of its
Motion for an Extension of Time. Mellon seeks a 14-day extension of time to respond to the
Complaint.
On January 17,2006, Plaintiff sent Mellon a copy of the Complaint via certified mail (Mellon
does not agree that such service is adequate). The Complaint does not name Mellon as a defendant and
does not appear to contain any averments about Mellon. Rather, it alleges certain facts about
Commonwealth National Bank ("Commonwealth"). It appears that, without explanation, Plaintiff
equates Mellon with Commonwealth. Mellon seeks a brief extension of time to respond to the
Complaint, for several reasons.
First, the Complaint is quite long-87 single-spaced pages. The allegations cover more than 20
years and refer to several incidents involving several actors and entities. Moreover, the Complaint is
poorly organized and rambling. It does not contain the "short and plain statement of the claim,"
showing that Plaintiff is entitled to relief from Mellon, contemplated by the Federal Rules of Civil
Procedure. See Fed. R. Civ. P. 8(a). For these reasons, Mellon requires Civil Action No. 2:05-cv-2288MAM more than the 20 days allotted to it, under the rules, to understand and respond to Plaintiff's
allegations.
Accordingly, Mellon respectfully requests a 14-day extension of time in which to respond
to the Complaint.
Dated: February 8,2006

s/ George M. Gowen III


George M. Gowen 111
COZEN O'CONNOR
1900 Market Street
Philadelphia, PA 19103
Tel. (215) 665-2000
Fax (215) 665-2013
Attorneys for Mellon Bank, N.A.

CERTIFICATE OF SERVICE
I, George M. Gowen 111, hereby certify that I served a true and correct copy of the foregoing
Motion for an Extension of Time and the accompanying memorandum of law, via U.S, First Class
Mail, on the 8th day of February, 2006, upon the following:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 175 16
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Lancaster County Prison
625 East King Street
Lancaster, PA 17602-3 199
Stone Harbor Police Department Avalon Police Department
9508 Second Avenue 3088 Dune Drive
Stone Harbor, NJ 08247 Avalon, NJ 08202
Fulton Financial Corporation
One Perm Square
Lancaster, PA 17602
Lancaster County Sheriffs Department
50 North Duke Street
P.O. Box 83480
Lancaster. PA 17608-3480
Christopher S. Underhill, Esquire
HARTMAN UNDERHILL &
BRUBAKER, LLP
221 East Chestnut Street
Lancaster, PA 17602
Attorneys for Defendant Manheim Township
and its Police Department
s/George M . Gowen III
George M. Gowen 111
1900 Market Street
Philadelphia, PA 19103
Tel. (21 5)665-2000
Fax. (215)665-2013

IN THE UJITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA

STANLEY J. CATERBONE,
Plaintiff,.

v.
LANCASTER COUNTY PRISON, et al.,
Defendants

ORDER

AND NOW, this 9th day of February 6, upon consideration Motion of Defendant Mellon Bank, N.A.
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("Mellon") for an Extension of Time, and any response thereto, it is hereby ORDERED that said
motion is GRANTED. It is hereby further ORDERED and that the deadline for Mellon's response to
the Complaint is extended by 14 days.

S/Mary McLaughlin
McLaughlin, J.

1:00 PM - 1:00 PM

Fulton Bank Response and Aswers to Federal cv-0288 Judge McLaughlin

Responses and Replies


2:05-cv-02288-MAM.S&'TERBONE v. LANCASTER COUNTY PRISON et a!

United States District Court


Eastern District of Pennsylvania
Notice of Electronic Filing
The following transaction was received from CARFLEY, STEPHANIE entered on 2/9/2006 at 4:41
PM EST and filed on 2/9/2006
Case Name: CATERBONE v. LANCASTER COUNTY PRISON et a1
Case Number: 205-cv-2288
Filer: FULTON BANK
Document Number: 18
Docket Text:
RESPONSE in Support re [17] MOTION to Dismiss filed by FULTON BANK. (CARFLEY,
STEPHANIE)
The following document(s) are associated with this transaction:
Document description: Main Document
Original filenameda
Electronic document Stamp:
[STAMP dcecfStarnp lD=l001600548 [Date=2/9/2006] [FilcNumber=l882392-01
I41 2b7 19d2b2c63~0cb13 1 tD703b58b5b88c7fOOadc47d3cc041041d6475r40c47dOd
~d8224cdda~437b72affl9eaac29D942fBa7720286a7425~90bc114ea]]
2:05-cv-2288 Notice will be electronically mailed to:
STEPHANIE CARFLEY scarfley@barley.com, kgarner@barley.com; tranck@barley.com;
easterndistrict@barley.com
GEORGE M. GOWEN , I11 ggowen@cozen.com
CHRISTOPHER S. UNDERHILL chrisu@hublaw.com,
2%-cv-2288 Notice will be delivered by other means to:
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 175 16
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IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff
No. 05-CV-2288
v.
LANCASTER COUNTY PRISON, MANHEIM :
TOWNSHIP POLICE DEPARTMENT, STONE :
HARBOR POLICE DEPARTMENT, AVALON : JURY TRlAL DEMANDED
POLICE DEPARTMENT, COMMON WEALTH :
NATIONAL BANK (i.e. MELLON BANK),
SOUTHERN REGIONAL POLICE
DEPARTMENT, LANCASTER COUNTY
SHERIFFS DEPARTMENT, FULTON BANK :
Defendants

DEFENDANT FULTON BANK'S BRIEF IN SUPPORT OF


MOTION TO DISMISS PLAINTIFF'S COMPLAINT
1. HISTORY OF THE CASE
On or about May 16,2005, Plaintiff, Stanley J. Caterbone ("Caterbone") filed a pro se
Complaint against Fulton Bank ("Fulton") and vatious other Defendants. Although Fulton
received a copy of the Summons, Fulton was not served with a copy of the Complaint.
Upon information and belief, on or about December 17,2005, Plaintiff sent a letter to this
Honorable Court requesting leave to amend the Complaint and a hearing. By Order dated
January 5,2006, the Court directed Plaintiffto serve Defendants with the Summons and
Complaint by January 25,2006 or face dismissal of the Complaint without prejudice. In that
Order, the Court also denied a Motion to File the Complaint under Seal that apparently was filed
by Plaintiff, but never served upon Fulton.
On or about January 20,2006, Fulton received via priority mail a copy of the Court's
Order of January 5,2006, the Summons and two (2) documents entitled "Affidavit of Stanley J.
Caterbone" and "Findings of Fact" which are believed to collectively constitute the Complaint
(hereinafter referred to as the "Complaint"). There are several defects andlor deficiencies in
Plaintiff's Complaint. Therefore, Fulton filed Motion to Dismiss pursuant to Federal Rule of
Civil Procedure 12(b). This Brief is submitted in support of Fulton's Motion to Dismiss.
11. ISSUES PRESENTED
A. WHETHER PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED FOR
LACK OF SUBJECT MATTER JURISDICTION?
Answered in the AFFIRMATIVE by Defendant Fulton Bank.
B. WHETHER PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED FOR
IMPROPER SERVICE?
Answered in the AFFIRMATIVE by Defendant Fulton Bank.
C. WHETHER PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED FOR
FAILURE TO STATE A CLAIM UPON WHICH RELIEF MAY BE GRANTED?
Answered in the AFFIRMATIVE by Defendant Fulton Bank.
D. WHETHER PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED BASED
UPON THE EXPIRATION OF THE STATUTE OF LIMITATIONS?
Answered in the AFFIRMATIVE by Defendant Fulton Bank.
E. WHETHER PLAINTIFF'S CLAIM SET FORTH ON PAGES 80 AND 81 OF
THE COMPLAINT SHOULD BE DISMISSED FOR LACK OF STANDING?
Answered in the AFFIRMATIVE by Defendant Fulton Bank.
111. ARGUMENT
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A. PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED BECAUSE THE
COURT LACKS SUBJECT MATTER JURISDICTION IN THIS CASE.
To the extent that subject matter jurisdiction over Plaintiffs claims is based upon an
alleged diversity of citizenship pursuant to 28 U.S.C. $1332, the Complaint must be dismissed.
Section $1332 requires that complete diversity exist between the parties. Grand Union
Supermarkets of V.I.. Inc. v. H.E. Lockhart Management. Inc., 316 F.3d 408 (3d Cir. 2003)
(emphasis added). In other words, in order to invoke diversity of citizenship as a basis for
federal subject matter jurisdiction, a plaintiff must show that helshe does not share citizenship
with an^ of the defendants. Owen Equipment & Erection Co. v. Kroger, 437 U.S. 365,98 S.Ct.
2396, 57 L.Ed.2d 274 (1978); Grand Union, 316 F.3d at 410. Diversity jurisdiction exists only
when all plaintiffs are of different citizenship than all defendants. Stanley v. Exxon Corn., 824
F. Supp. 52 (E.D. Pa. 1993).
It is evident from the Complaint itself that complete diversity of citizenship between
Plaintiff and all of the Defendants does not exist here. In the instant case, Plaintiff is a citizen of
the Commonwealth of Pennsylvania. However, Defendant Fulton and at least co-defendants
Lancaster County Prison, Manheim Township Police Department, Commonwealth National
Bank, i.e. Mellon Bank, and Lancaster County Sheriffs Department are also citizens of
Pennsylvania. In other words, Plaintiffs Complaint defeats, rather than establishes, federal
subject matter jurisdiction in this action based upon diversity of citizenship.
Since Plaintiff is a citizen of the same state as numerous Defendants, complete diversity
does not exist and this Court does not have subject matter jurisdiction over the instant claim
under 28 U.S.C. $ 1332. Accordingly, to the extent that subject matter jurisdiction over
Plaintiff's claims is dependent upon diversity of citizenship, the Complaint must be dismissed.
B. PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED FOR IMPROPER
SERVICE.
As set forth above, Plaintiffs Complaint in this matter was originally filed on or about
May 16,2005. Although Fulton received a copy of the Summons, Fulton was not served with a
copy of the Complaint as required by Rule 4(m) of the Federal Rules of Civil Procedure. Upon
information and belief, none of the other Defendants were sewed with the Complaint in
accordance with the 120 day time limit set forth in Fed.R.Civ.P. 4(m) either. Accordingly, on
January 5,2006, this Honorable court issued an Order directing Plaintiff to serve Defendants
with the Summons and Complaint on or before January 25,2006. On or about January 20,2006,
Fulton received copies of the Summons and Complaint by priority mail. For the reasons set forth
below, Plaintiffs attempted service upon Fulton in this manner is deficient under the Federal
Rules and the Pennsylvania Rules of Civil Procedure. Accordingly, dismissal of Plaintiffs
Complaint is warranted.
Service of process upon individuals within a judicial district of the United States is
governed by Fed.R.Civ.P. 4(e). Rule 4(e) of the Federal Rules states:
Unless otherwise provided by federal law, service upon an individual from whom
a waiver has not been obtained and filed, other than an infant or an incompetent
person, may be effected in any judicial district of the United States: (1) pursuant
to the law of the state in which the district court is located, or in which service is
effected, for the service of the summons upon the defendant in an action brought
in the courts of general jurisdiction of the State; or (2) by delivering a copy of the
summons and of the complaint to the individual personally or by leaving copies
thereof at the individual's dwelling house or usual place of abode with some
person of suitable age and discretion then residing therein or by delivering a copy
of the summons and of the complaint to an agent authorized by appointment or
law to receive service of process.
Pennsylvania Rule of Civil Procedure 402 governs the manner of service of original
process within the Commonwealth of Pennsylvania and provides that original process may be
served:
(1) by handing a copy to the defendant; or
(2) by handing a copy (i) at the residence of the defendant to an adult member of
the family with whom he resides; but if no adult member of the family is found,
then to an adult person in charge of such residence; or (ii) at the residence of the
defendant to the clerk or manager of the hotel, inn, apartment house, boarding
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house or other place of lodging at which he resides; or (iii) at any ofice or usual
place of business of the defendant to his agent or to the person for the time being
in charge thereof.
-See P a.R.Civ.P. 402(a)(l) and (2). Thus, neither Federal Rule 4(e) nor Pennsylvania
Rule 402 authorizes service by mail upon a Pennsylvania defendant. Rather, it is clear from the
language of the above-cited rules that hand delivery is required pursuant to both the Federal
Rules and Pennsylvania law for a defendant who is located within the Commonwealth of
Pennsylvania.
In the instant case, Plaintiff served Fulton with the Summons and Complaint via priority
mail at its One Penn Square, Lancaster, Pennsylvania address. Mailing copies of the Summons
and Complaint is insufficient to effect service upon Fulton under Fed.R.Civ.P. 4(e) or Pa.
R.Civ.P. 402. Accordingly, proper service has not been made upon Fulton. Additionally, the
120 day time period for service of the original Complaint has long since expired. Although the
Court's Order of January 5,2006 granted Plaintiff additional time to serve the Summons and
Complaint, the Court warned Plaintiff that failure to serve the documents by January 25,2006
1558383.15would result in dismissal. The requirement of proper service was implicit in the Court's
Order
granting Plaintiff such additional time. Since Plaintiff has not properly served Fulton and has not
made a showing of good cause for his failure to timely perfect service, See e.g. Barrett v. City of
Allentown, 152 F.R.D. 46,49 (E.D. Pa. 1993) (plaintiffs' pro se status or lack of knowledge of
procedural rules does not constitute good cause for failing to effect proper service), Plaintiffs
Complaint should be dismissed in its entirety.
C. PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED FOR FAILURE TO
STATE A CLAIM UPON WHICH RELIEF MAY BE GRANTED.
To assert a claim under federal law, a plaintiff is required to plead the facts supporting his
or her claim in a short and plain statement. Fed.R.Civ.P. 8(a)(2). To survive a motion to dismiss
for failure to state a claim, the plaintiff must allege sufficient specific facts giving rise to the
cause of action to put the defendant on notice of the essential elements of the plaintiffs cause of
actio ,n-. 785 F.2d 65 (3d Cir. 1985). When considering a motion to dismiss
pursuant to Federal Rule of Civil Procedure 12(b)(6), the court must accept all the factual
allegations as true and construe the complaint in the light most favorable to the plaintiff. Robb v.
Citv of Phila., 733 F.2d 286,291 (3d Cir. 1984). However, a court must dismiss the claims
against a defendant when it appears with certainty that the plaintiff can establish no set of facts
which would entitle the plaintiff to relief. Hishon v. Kina & Spalding, 467 U.S. 69,73 (1984);
Colbum v. Upper Darby Township, 838 F.2d 663 (3d Cir. 1988).
In the instant case, the Complaint filed by Plaintiff consists of eighty-seven (87) pages of
single-spaced text. In those 87 pages, Fulton is only mentioned on Pages 55,56,80,81 and 86.
On Pages 55 and 56 of the Complaint, Plaintiff alleges that on August 2, 1990, Fulton
"embezzled $5,000 from the checking account of Stan Caterbone due to an error by Fulton
1558383.1
Bank's accounting" and "refused to credit the account for more than 60 days, without crediting
the lost interest income." On Pages 80 and 81, Plaintiff alleges that in 1996, his brother, Tom
Caterbone, presented a check for deposit to Fulton on at least three (3) occasions and that Fulton
refused to deposit the check on each occasion because there were insufficient funds in the
account from which the check was to be drawn. On Page 86, Plaintiff merely alleges that Fulton
is a limited partner in Penn Square Partners. Plaintiff makes no other allegations against Fulton
in his Complaint.
In its present form, the Complaint contains only vague assertions of "fact" and does not
identify any clear legal theory under which Plaintiff seeks relief. Based on the foregoing
allegations, it is difficult to even speculate as to what claims Plaintiff is attempting to assert
against Fulton in the Complaint. To the extent, however, that Plaintiffs allegations against
Fulton on Pages 55 and 56 of the Complaint are an attempt to set forth a claim for unjust
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enrichment, this claim must fail.
Unjust enrichment is a quasi-contractual doctrine based in equity. Wiemik v. PHH U.S.
Mortgage Corp., 736 A.2d 616,622 (Pa. Super. 1999), appeal denied, 561 Pa. 700,751 A.2d 193
(2000). Where unjust enrichment is found, the law implies a contract which requires the
defendant to pay to the plaintiff the value of the benefit conferred. Schenck v. K.E. David. Ltd.,
446 Pa. Super. 94,666 A.2d 327 (1995), appeal denied, 544 Pa. 660,676 A.2d 1200 (1996).
The elements necessary to prove unjust enrichment are: (1) benefits conferred on a defendant by
plaintiff; (2) appreciation of such benefits by defendant; and (3) acceptance and retention of the
benefit without payment of value. Wiernik, 736 A.2d at 622. Applying these elements to the
allegations made by Plaintiff on Pages 55 and 56, it is clear that Plaintiff has failed to adequately plead
a claim of unjust enrichment. Nowhere in the Complaint does Plaintiff allege that Fulton appreciated
or recognized the benefit of the allegedly "embezzled" $5,000; rather, the Complaint makes clear that
the "embezzlement" by Fulton was the result of an accounting error of which Fulton was not aware,
not an intentional act by Fulton.
Nor does Plaintiff allege that Fulton accepted or retained any benefit without payment of value
to him. To the contrary, it is clear from Plaintiffs Complaint that Fulton corrected the error and
credited the $5,000 back to Mr. Caterbone's account. Accordingly, Plaintiff has suffered no loss
and Fulton has gained no benefit as a result of the alleged accounting error.
Even accepting the above-referenced allegations of Plaintiffs Complaint as true, the
Complaint fails to state a valid claim for unjust enrichment. Accordingly, dismissal of the cause
of action set forth on Pages 55 and 56 of Plaintiffs Complaint for failure to state a claim upon
which relief may be granted is warranted and appropriate.
Like his allegations on Pages 55 and 56, the specific claim being advanced by Plaintiff on
Pages 80 and 81 of the Complaint is also unclcar. Plaintiff alleges that in 1996, his brother, Tom
Caterbone, presented a check for deposit to Fulton on several occasions and Fulton refused to
deposit the check because there were insufficient funds in the account from which the check was
to be drawn. Plaintiff provides no M e r support for this claim. Without further elaboration of
Plaintiffs claim, Fulton is again left to speculate as to what cause of action Plaintiff is
attempting to assert. Based on the allegations made on Pages 80 and 81 of the Complaint, it is
believed that Plaintiff may be trying to set forth a claim for common law fraud. However, the
allegations set forth on Pages 80 and 81 fail to properly state such a claim against Fulton.
Rule 9(b) of the Federal Rules of Civil procedure provide that "[iln all averments of fraud
or mistake, the circumstances constituting fraud or mistake shall be stated with particularity."
See Fed.R.Civ.P. 9(b). The United States Court of Appeals for the Third Circuit has held that
Rule 9(b) requires plaintiffs to plead with particularity the "circumstances" of the alleged fraud
in order to place the defendants on notice of the precise misconduct with which they are charged,
and to safeguard defendants against spurious charges of immoral or fraudulent behavior. &dk
Indus. Mach. Com. v. Southmost Mach. Corn., 742 F.2d 786,791 (3d Cir. 1984), cert. denied,
469 U.S. 121 1 (1985). The rule is satisfied where some precision and some measure of
substantiation is present in the pleadings. Killian v. McCulloch, 850 F.Supp. 1239, 1254
(E.D.Pa. 1994).
The elements of common law fraud are: (1) a representation made by the defendant; (2)
which is material to the transaction at hand; (3) made falsely, with knowledge of its falsity or
recklessness as to whether it was true or false; (4) with the intent of misleading another into
relying on it; (5) justitiable reliance on the misrepresentation; and (6) damage to the plaintiff as a
result of such reliance. Gibbs v. Ernst, 538 Pa. 193,207, 647 A.2d 882, 889 (1994). As
demonstrated below, Plaintiff has failed to plead all of the necessary elements of common law
fraud with suf?icient specificity to support such a claim.
Even accepting Plaintiffs allegations as true, it is clear from the Complaint that Fulton
made no representations, false or otherwise, to Plaintiff regarding the check at issue. Rather, by
Plaintiffs own admission, the check referenced on Pages 80 and 81 of the Complaint was made
payable to and was presented to Fulton by Plaintiffs brother, Tom Caterbone, not Plaintiff. Nor
has Plaintiff pled any justifiable reliance by him on the alleged representations made by Fulton
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regarding the refusal to deposit the check. Again, the Complaint demonstrates on its face that it
was Plaintiffs brother who presented the check to Fulton and was told that it could not be
deposited because there were insufficient funds in the account fiom which the check was to be
drawn. Finally, Plaintiff has not alleged, and cannot prove, any resulting damage or injury to
him caused by his reliance on Fulton's alleged representations. Accordingly, dismissal of the
cause of action set forth on Pages 80 and 81 of Plaintiffs Complaint is appropriate for failure to
state a claim upon which relief may be granted.
Finally, Plaintiffs allegation that Fulton is a limited partner in Penn Square Partners,
without more, is insufficient to state a claim against Fulton upon which relief may be granted.
Accordingly, dismissal of Plaintiffs Complaint in its entirety is warranted and appropriate.
D. PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED BASED UPON THE
EXPIRATION OF THE STATUTE OF LIMITATIONS.
The statute of limitations is typically raised as an affirmative defense in a responsive
pleading under Fed.R.Civ.P. 8(c). However, where it appears fiom the face of the pleading that
the complaint is time-barred, a motion to dismiss for failure to state a claim is proper. Oshiver v.
Levin, Fishbein, Sedran & Berman, 38 F.3d 1380, 1384-85 (3d Cir. 1994), on remand, 910 F.
Supp. 225. See also Sabo v. Parisi, 583 F. Supp. 1468 (E.D. Pa. 1984). Therefore, in addition to
the above-cited reasons, Plaintiffs Complaint should also be dismissed pursuant to Fed.R.Civ.P.
12(b)(6) because the Complaint demonstrates, on its face, that the statute of limitations on
Plaintiffs claims against Fulton has expired.
The facts as pled in the Complaint on Pages 55-56 and 80-81 clearly demonstrate that
Plaintiffs claims date back to 1990 and 1996, respectively. It is also apparent from the
Complaint that Plaintiff was aware of the facts giving rise to his asserted claims at the time of
1558383.110their occurrence, i.e. in 1990 and 1996. It is well settled that a four-year statute of
limitations
governs claims for unjust enrichment, Cole v. Lawrence, 701 A.2d 987,989 (Pa. Super. 1997),
uppeal denied, 555 Pa. 738,725 A.2d 1217 (1998) (unjust enrichment claim action is subject to a
four-year statute of limitations, as it constitutes a contract implied-in-law) while the statute of
limitations for common law fraud is two-years. Calle v. York Hospital, 232 F.Supp.2d 353,35960 (M.D.Pa. 2002); Fine v. Checcio, 870 A.2d 850,857 (Pa. 2005) (statute of limitations for
common law fraud is two-years and begins to run from the moment the right to bring an action
arises, regardless of lack of knowledge, mistake or misunderstanding).
It is evident from the face of the Complaint that the events in question occurred anywhere
from 10 to 15 years ago, not within the four or two-year limitation period allowed for Plaintiffs
unjust enrichment and fraud claims.' Since the statute of limitations on Plaintiffs claims has
expired, Plaintiff's claims are time-barred and the Complaint should be dismissed, with
prejudice, for failure to state a claim upon which relief may be granted.
E. PLAINTIFF'S CLAIM SET FORTH ON PAGES 80 AND 81 OF THE
COMPLAINT SHOULD BE DISMISSED FOR LACK OF STANDING.
Standing is a threshold question in every federal case, determining the power of the court
to entertain the suit. Warth v. Seldin, 422 U.S. 490,498,95 S.Ct. 2197,2205 (1975). In order to
establish standing in a federal court "[a] plaintiff must allege personal injury fairly traceable to
' Even if this Court finds that Plaintiffs allegations attempt to set forth causes of action other than
unjust
enrichment andor common law fraud, Fulton submits that Plaintiffs claims are still barred by the
statute
of limitations. See In re Mushroom Transv. Co.. lnc., 382 F.3d 325,336 (3d Cir. 2004) (two-year
statute of limitations govems breach of fiduciary duty claims); Calihan v. A.E.V.. Inc., 182 F.3d
237,246
n.7 (3d Cir. 1999) (two-year statute of limitations governs civil conspiracy claims); Santana Products,
Inc.
v. Bobrick Washroom Eauip., Inc., 401 F.3d 123, 138-39 (3d Cir. 2005), cerf. denied, 126 S.Ct. 734
(2005) (a claim brought under Pennsylvania's Unfair Trade Practices and Consumer Protection Law is
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subject to a six-year statute of limitations).
the defendant's allegedly unlawful conduct and likely to be redressed by the requested relief."
Allen v. Wright, 468 U.S. 737, 750, 104 S.Ct. 3315 (1984). In the area of standing, the United
States Supreme Court "has consistently stressed that a plaintiffs complaint must establish that he
has a 'personal stake' in the alleged dispute, [and] that the alleged injury suffered is
particularized as to him." Raines v. Byrd, 521 U.S. 81 1, 819, 117 S.Ct. 2312 (1997). It is also
well established that an "abstract injury" or "generalized grievance" is insufficient to meet the
requisite standing requirements. Streater v. U.S. Devt. of trans^., No. 95-2162, 1996 WL
134807 at *4 (E.D.Pa. March 25,1996). Additionally, the party who seeks the exercise of
jurisdiction in his favor has the burden of clearly alleging facts demonstrating that he is a proper
party to invoke judicial resolution of the dispute. FWtPBS, Inc. v. Citv of Dallas, 493 U.S. 215,
231, 110 S.Ct. 596,608 (1990).
In the instant case, Plaintiff has not alleged that he has suffered any particularized
personal injury in relation to the claim set forth on Pages 80 and 81 of the Complaint. In
essence, through his allegations, Plaintiff simply voices his disapproval over Fulton's handling of
the check presented by his brother. This "generalized grievance" is insufficient to establish
standing in this Court. Plaintiff also has failed to establish that he is the proper party to bring an
action on behalf of his deceased brother. Plaintiff is not the Executor of the Estate of Tom
Caterbone. Rather, Plaintiffs other brother, Steven Caterbone, was appointed the personal
representative of the Estate. Additionally, Plaintiff has brought the claim in his own name and
not on behalf of his brother. Since Plaintiff has failed to allege or demonstrate any personal
stake or particularized injury related to the allegations on Pages 80 and 81 of the Complaint that
would give him standing, this claim should be dismissed pursuant to Rule 12(b)(l).
IV. CONCLUSION
Based on the above cited authorities and reasoning, Defendant Fulton Bank respectfully
requests that this Honorable Court grant its Motion and dismiss Plaintiffs Complaint in its
entirety with prejudice.
BARLEY SNYDER, LLC
Dated: February 9,2006 By: /sl Stephanie Carflev
Stephanie Carfley, Esquire
Attorneys for Defendant Fulton Bank
126 East King Street .
Lancaster, PA 17602-2893
(717) 299-5201

CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing Brief in Support of Motion to
Dismiss has been served this 9th day of Februaw ,2006, by first class mail, postage prepaid, upon:
Stanley Caterbone
220 Stone Hill Road
Conestoga, PA 175 16
Lancaster County Prison
625 East King Street
Lancaster, PA 17602-3 199
Stone Harbor Police Department Avalon Police Department
9508 Second Avenue 3088 Dune Drive
Stone Harbor, NJ 08247 Avalon, NJ 08202
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George M. Gowen, 111, Esquire Lancaster County Sheriff's Department
Cozen O'Connor 50 North Duke Street
1900 Market Street P.O. Box 83480
Philadelphia, PA 191 03 Lancaster, PA 17608-3480
Christopher S. Underhill, Esquire
Hartman, Underhill & Brubaker, LLP
221 East Chestnut Street
Lancaster, PA 17602
The foregoing document has also been filed electronically and is available for viewing
and downloading on the ECF system.
BARLEY SNYDER LLC
By: Is/ Stephanie Carfley
Stephanie Carfley, Esquire
Attorneys for Defendant Fulton Bank
126 East King Street
Lancaster, PA 17602-2893
(717) 299-5201
Court I.D. No. 79136

126 East King Street


Lancaster, PA 17602-2893
Te1717.299.5201 Fax 717.291.4660
www.barley.com
Stephanie Carney. Esquire
Direct Dial Number: 7 17.399.1536
E-mail: scarflcy@harley.com
February 9,2006
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 175 16
Re: Stanley J. Caterbone v. Fulton Bank, et al.
Dear Mr. Caterbone:
Enclosed please find a copy of a Praecipe to Enter Appearance, Motion to Dismiss
Plaintiffs Complaint and Brief in Support thereof, the originals of which have been
electronically filed this date.
Very truly yours,
SCIkat: 1559986.1
Enclosures
cc: George M. Gowen, 111, Esquire
Christopher S. Underhill, Esquire
Lancaster County Prison
Stone Harbor Police Department
Avalon Police Department
Lancaster County Sheriffs Department

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Lancaster . York Harrisburg. Reading. Benvyn Hannver Chambersburg

/ Other Documents
2:05-cv-02288-MAM CATERBONE v. LANCASTER COUNTY PRISON et al

United States District Court


Eastern District of Pennsylvania
Notice of Electronic Filing
The following transaction was received from CARFLEY, STEPHANIE entered on 2/9/2006 at 1 :47
PM EST and filed on 2/9/2006
Case Name: CATERBONE v. LANCASTER COUNTY PRISON et al
Case Number: 2:05-cv-2288
Filer: FULTON BANK
Document Number: 16
Docket Text:
Praecipe to Enter Appearance by FULTON BANK. (CARFLEY, STEPHANIE)
The following document(s) are associated with this transaction:
Document description:Main Document
Original filename:n/a
Electronic document Stamp:
lSTAMP dcecfStamv ID=1001600548 IDate=2/9/20061 IFileNumber-1881532-01
2:05-cv-2288 Notice will be electronically mailed to:
STEPHANIE CARFLEY scarfley@barley.com, kgarner@barley.com; tranck@barley.com;
eastemdistrict@barley.com GEORGE M. GOWEN, 111 ggowen@cozen.com CHRISTOPHER S.
UNDERHILL chrisu@hublaw.com,
2:05-cv-2288 Notice will be delivered by other means to:
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff
LANCASTER COUNTY PRISON, MANHEIM :
TOWNSHIP POLICE DEPARTMENT, STONE :
HARBOR POLICE DEPARTMENT, AVALON : JURY TRIAL DEMANDED
POLICE DEPARTMENT, COMMONWEALTH :
NATIONAL BANK (i.e. MELLON BANK),
SOUTHERN REGIONAL POLICE
DEPARTMENT, LANCASTER COUNTY
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SHERIFFS DEPARTMENT, FULTON BANK :
Defendant

PRAECIPE TO ENTER APPEARANCE


Kindly enter the appearance of Stephanie Carfley, Esquire of Barley Snyder LLC on behalf of Fulton
Bank in the above matter. Please serve all papers at 126 East King Street, Lancaster, PA 17602.

BARLEY SNYDER, LLC


Dated: February 9,2006 By: Is/ Stephanie Carflev
Stephanie Carfley, Esquire
Attorneys for Defendant Fulton Bank
126 East King Street
Lancaster, PA 17602-2893
(717) 299-5201
Court I.D. No. 79136

CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing Praecipe to Enter Appearance has
been sewed this 9th day of February, 2006, by first class mail, postage prepaid, upon:
Stanley Caterbone
220 Stone Hill Road
Conestoga, PA 1751 6
Lancaster County Prison
625 East King Street
Lancaster. PA 17602-3 199
Stone Harbor Police Department Avalon Police Department
9508 Second Avenue 3088 Dune Drive
Stone Harbor, NJ 08247 Avalon, NJ 08202
George M. Gowen, 111, Esquire Lancaster County Sheriffs Department
Cozen O'Connor 50 North Duke Street
1900 Market Street P.O. Box 83480
Philadelphia, PA 191 03 Lancaster, PA 17608-3480
Christopher S. Underhill, Esquire
Hartman, Underhill & Brubaker, LLP
22 1 East Chestnut Street
Lancaster, PA 17602
The foregoing document has also been filed electronically and is available for viewing
and downloading on the ECF system.
BARLEY SNYDER LLC
By: /s/ Stephanie Carfley
Stephanie Carfley, Esquire
Attorneys for Defendant Fulton Bank
126 East King Street
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Lancaster, PA 17602-2893
(717) 299-5201
Court I.D. No. 79136

February 10, 2006


Friday
7:30 AM - 9:30 AM

Chamber Annual Business Mtg -- Willow Valley Resort

8:00 AM - 8:00 AM

Drew Anthon Motion Due

Richard S. Solove, Esquire


McNEES WALLACE & NURICK LLC
180 Good Drive
Lancaster, PA 17603
(717) 291-1177
Attorney I.D. #I7717
Attorney for Defendants
IN THE COURT OF COMMON PLEAS OF LANCASTER COUNTY, PENNSYLVANIA
CIVIL ACTION
PROJECT HOPE/ADVANCED
MEDIA GROUP
220 Stone Hill Road
Conestoga, PA 1751 6
Plaintiff
Civil Action Law
DREW ANTHON, EDEN RESORT INN j
AND CONFERENCE
222 Eden Road
Lancaster, PA 17601
Case No.CI-05-03644
PRELIMINARY OBJECTIONS OF DEFENDANTS
Defendants, by and through their attorney, Richard S. Solove, hereby files
Preliminary Objections to the Complaint on the following grounds:
1. Plaintiff's complaint fails to allege facts sufficient to establish a cause of action.
2. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1018 (b), in that the Complaint is not properly captioned.
NO. 05-03644
3. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1018.1, in that the Complaint does not contain a Notice to
Defend.
4. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1019 (a), in that the material facts were not stated in a concise
and summary form.
5. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1021, in that the Complaint does not specify the relief sought,
and does not state whether the amount claimed does or does not exceed the
jurisdictional amount requiring arbitration or referral by local rule.
6. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1024, in that the Complaint is not verified.
7. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
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Procedure, Rule 1022, in that the Plaintiff's Complaint is not divided into
consecutively numbered paragraphs.
WHEREFORE, Defendants respectfully request that Plaintiff's Complaint be dismissed.
Respectfully submitted,
WNees Wallace & Nurick LLC
RICHARD S. SOLOYE
Attorney I/D No. 1771 7
180 Good Drive
Lancaster, Pennsylvania 17603
(71 7) 291 -1 177
Attorneys for Defendants
CERTIFICATE OF SERVICE
I hereby certify that I am this day serving a copy of the foregoing docurnent(s)
upon the person(s) and in the manner indicated below:
SERVICE BY FIRST CLASS MAIL ADDRESSED AS FOLLOWS:
Stanley Caterbone
Project Hopel Advanced Media Group
220 Stone Hill Road
Conestoga, PA 1751 6
S. SOLOVE
Attorney I/D No. 17717
Attorney for Defendants
Dated: 1/23/2006

1:00 PM - 1:30 PM

Comcast Cable -- South Duke Street, Lancaster, PA

Took back digital box for replacement, gave colored woman bankruptcy papers for her
superior, was again going to turn off cable.
1:30 PM - 2:00 PM

Drew Anthlon Notice of Items feb 10 2006 -- Lancaster County Courthouse, Lancaster, PA 17603

IN THE COURT OF COMMON PLEAS LANCASTER COUNTY,


PENNSYLVANIA
CIVIL DIVISION

PROJECT HOPE
ADVANCED MEDIA GROUP
220 Stone Hill Road
Conestoga, PA 17516
Plaintiff

Case No. CI-05-03644

DREW ANTHON,
(MA)EDEN RESORT INN
222 Eden Road
Lancaster, PA 17601
Defendant
NOTICE
ITEMS FOR CLAIM
Plaintiff files the following ITEMS FOR CLAIM.
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health problems that
that were triggered when the Plaintiff read the Lancaster
Newspapers Intelligencer article regarding the same (Tea Party) as well as
business financial losses.
2.
Excelsior Place Business Plan Fees $7,000.00
UPS Store Lost Opportunity SUB TOTAL

$10,000.00
___________
$22,118.00

ATTORNEY FEES AND ADMINISTRATION -

2,000.00

TOTAL -

$24,118.00

I hereby certify that appropriate Notices Items For Claim has been mailed in accordance with
PA R.C.P. 237.1 on the dales indicated on the Notices.

STAN J. CATERBONE
PROJECT HOPE
ADVANCED MEDIA GROUP
By:______________________________
STAN J. CATERBONE, Pro Se
DREW ANTHON,
(MA)EDEN RESORT INN
Plaintiffs address is:
Stan J. Caterbone, 220 Stone Hill Road, Conestoga, PA 17516 And that the last know11 address of
the Defendant is: 222 Eden Road, Lancaster, PA 17601

IN THE COURT OF COMMON PLEAS LANCASTER COUNTY,


PENNSYLVANIA
CIVIL DIVISION

PROJECT HOPE
ADVANCED MEDIA GROUP
Plaintiff

Case No. CI-05-03644

DREW ANTHON,
(MA)EDEN RESORT INN
Defendant
NOTICE OF JUDGMENT OR ORDER

TO:

( ) Plaintiff
(XX) Defendant
( )Garnishee
You are hereby notified that the following
Order or Judgment was entered against you
On January 20, 2006
Advanced Media Group

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February 10, 2006 Continued


Friday
of $11,000 plus costs.
( )

Trespass Judgment in the amount


of $_________ plus costs.

( )
If not satisfied within sixty (60)
days, your motor vehicle operator'$ license and/or registration
will be suspended by the Department of Transportation, Bureau
of Traffic Safety, Harrisburg, PA
(XX) Entry of Judgment of
( ) Court Order
( ) Non-Pros
( ) Confession
(xx) Default
( ) Verdict
( ) Arbitration
Award
Prothonotary
By: ______________________________
PROTHONOTARY (OR DEPUTY)
DREW ANTHON,
(MA)EDEN RESORT INN
222 Eden Road, Lancaster, PA 17601
Plaintiffs address is:
Stan J. Caterbone, 220 Stone Hill Road, Conestoga, PA 17516 717-799-5915
IN THE COURT OF COMMON PLEAS LANCASTER COUNTY, PENNSYLVANIA
CIVIL DIVISION
PROJECT HOPE
ADVANCED MEDIA GROUP
Plaintiff

Case No. CI-05-03644

DREW ANTHON,
(MA)EDEN RESORT INN
Defendant
IMPORTANT NOTICE
TO:

DREW ANTHON,
(MA)EDEN RESORT INN
222 Eden Road, Lancaster, PA 17601

Date of Notice: January 20, 2006


YOU ARE IN DEFAULT BECAUSE YOU HAVE FAILED TO ENTER A WRITTEN
APPEARANCE PERSONALLY OR BY ATTORNEY AND FILE IN WRITING WITH THE COURT
YOUR DEFENSES OR OBJECTIONS TO THE CLAIMS SET FORTH AGAINST YOU UNLESS
YOU ACT WITHIN TEN DAYS FROM THE DATE OF THIS NOTICE, A JUDGMENT MAY BE
Advanced Media Group

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Friday
ENTERED AGAINST YOU WITHOUT A HEARING AND YOU MAY LOSE YOUR PROPERTY
OR OTHER IMPORTANT RIGHTS. YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT
ONCE. IF YOU DO NOT HAVE A LAWYER, GO TO OR TELEPHONE THE FOLLOWING
OFFICE SET FORTH BELOW. THIS OFFICE CAN PROVIDE YOU WITH INFORMATION
ABOUT HIRING A LAWYER. IF YOU CANNOT AFFORD TO HIRE A LAWYER, THIS OFFICE
MAY BE ABLE TI PROVIDE YOU WITH INFORMATION ABOUT AGENCIES THAT MAY
OFFER LEGAL SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE.
LANCASTER COUNTY COURT ADMINISTRATOR'S OFFICE
50 NORTH DUKE STREET
P.O. BOX 3480
LANCASTER, PA 17602
(717) 299-8041
BY: _______________________________
STAN J. CATERBONE
PROJECT HOPE/ADVANCED MEDIA GROUP
220 Stone Hill Road
Conestoga, PA 17516
717-799-5915

make the following civil complaint against the defendant, Drew Anthon and Eden Resort Inn and
Conference Center:
Plaintiff alleges Drew Anthon and the Eden Resort Inn and Conference Center has colluded to
sabotage the Downtown Lancaster Convention Center project by organizing a formal request and
soliciting support to certain Lancaster County Hoteliers to voluntarily withhold the payment of the
Lancaster County Hotel Room Tax, thereby placing the financial interests of the Business Plan for
the Excelsior Property of East King Street and the Rights to develop a UPS Store in or around the
Downtown Lancaster Convention Center at extreme risk.
Plaintiff will argue that such financial risk is causing mental stress and duress, that otherwise would
not be present, had the defendant not engaged the above-mentioned activities.

Plaintiff seeks the Commonwealth of Pennsylvania to place a sees and desist order against the
defendants actions to withhold the Hotel tax until the defendants can prove to the Commonwealth the
said actions are in the best interests of the Plaintiffs interests and those of all major stakeholders of the
proposed Downtown Lancaster Convention Center, including the School District of Lancaster, the City
of Lancaster, the County of Lancaster, Penn Square Partners, as well as others. Thus the defendants
must prove that the Downtown Lancaster Convention Center will fail.
Plaintiff submits the following exhibits for considerations of the Courts:
?? The major pages of the website of Advanced Media Group
?? The Excelsior Place Business Plan
?? The Agreement Between Art Ward, Owner of the UPS Store and Stan Caterbone

Plaintiff seeks a jury trial with damages in excess of $10,000.

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February 10, 2006 Continued


Friday
Stan J. Caterbone/Project Hope/Advanced Media Group
Dated: April 26, 2005

February 11, 2006


Saturday
All Day

Jenifer A's Birthday

All Day

SHERYL'S BIRTHDAY - NATIONAL HOLIDAY -- EVERYWERHER, USA

February 12, 2006


Sunday
8:00 AM - 8:30 AM

Joe Roda & Diane Nast email feb 12 2006

Dear Joe and Diane:


These are the documents I currently have filed in Federal courts. I just saw you were back to
work, so I thought I should share these with you. Please understand that the quotation of my
statement to the Pennsylvania Housing Agency is not accurate. I tried to request a tape or
transcript before this notice. This quote was fabricated.
Glad to see you both back to work, and hope everything is going well.
Any questions give me a call.
Stan
Advanced Media Group
Stan Caterbone
www.amgglobalentertainmentgroup.com
amgroup01@msn.com
Fax: 717-427-1621

February 13, 2006


Monday
2:00 PM - 2:30 PM

Comcast Cable -- South Duke Street Lancaster

Again went to Comcast after digital service was again shutt off. Again, another useless
phone call to customer service.
Told them that Mable of the Legal dept processed bankruptcy order. After about 20 minutes,
said service was restored.

February 15, 2006


Wednesday
9:00 AM - 10:00 AM

Advanced Media Group

Chapter 11 meeting -- Reading, PA

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February 16, 2006


Thursday
10:00 AM - 10:30 AM

PA Housing Finance Letter -- NOTICE OF DECISION OF HEARING EXAMINER

Advanced Media Group


220 Stone Hill Road
Conestoga, PA 17516
S.S. #: 200-46-6095
Chief Counsel - HEMAP Hearing Request,
PHFAIHEMAP,
21 1 North Front Street,
P.O. Box 15628,
Harrisburg, PA, 17105-5628
Facsimile: 717-780-4031

February 16, 2006

Re:

NOTICE OF DECISION OF HEARING EXAMINER

For the record, I did not provide the statements in the report as you have determined.
I protest the accuracy of the statements that were reported in the Decision, and formally
request a copy of the tape recording. I also have determined there are several inaccuracies
concerning the facts that were established.
Given that you a Federally funded program, what courts would have jurisdiction in
any appeals that may follow?

Respectfully,

Stan Caterbone
Cc:

Judge Mary McLaughlin,


Judge Thomas Twardowski,
File

February 18, 2006


Saturday
9:00 AM - 12:00 AM

Mardi Gras - New Orleans

February 19, 2006


Sunday
All Day

Mardi Gras - New Orleans


Please See Above

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9/25/2006 10:13 AM

February 20, 2006


Monday
All Day

Mardi Gras - New Orleans


Please See Above

February 21, 2006


Tuesday
All Day

Mardi Gras - New Orleans


Please See Above

9:30 AM - 11:00 AM

Chapter 11 Fulton Bank Hearing

Judge Twardoski no show


Ipod stolen in courtroom by woman beside me
Security guard picks me up and takes me down to lobby
Ipod found in security check
Security guards (4)pick me up and throw me out

February 22, 2006


Wednesday
All Day

Mardi Gras - New Orleans


Please See Above

7:00 AM - 7:00 AM

Sheryl Innerscope draft

8:00 AM - 8:30 AM

Sheryl Biopsy

8:00 AM - 8:00 AM

Deadline Judge Twardowski Feb 2 Order

9:00 AM - 9:30 AM

Visit Comcast to confirm appt. -- Comcast n. duke street

10:00 AM - 11:00 AM

Lancaster County Commissioners Meeting -- Lancaster County Courthouse

Art Morris, and Planning Commission. Walked out after hearing they awarded the
consultants bid 1 week before RFP was due.
11:30 AM - 12:30 PM

Bball at F&M -- F&M College

1:00 PM - 1:30 PM

Suburban Cable Appt -- 200 Stone Hill Road

Cable modem turned on before Comcast tech even entered my office, how could that
happen? Blue light on vonoge modem was lit for first time since Friday, the week before.

February 23, 2006


Thursday
All Day

Mardi Gras - New Orleans


Please See Above

February 24, 2006


Friday
All Day

Mardi Gras - New Orleans


Please See Above

All Day

Received Leo Eckert summons from Conestoga Police

1900 MARKET STREET PHILADELPHIA, PA 19103-3508 215.665.2000


800.523.2900 215.665.201 3 FAX w.co2en.com
February 23,2006
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Friday
VIA HAND DELIVERY
George M. Gowen III
Direct Phone 215.665.2781
Direct Far 215.701.2028
gptn*mn.cem
The Honorable Mary A. McLaughlin
United States District Court for the Eastern
District of Pennsylvania
601 Market Street
Philadelphia, PA 191 06
Re: Caterbone v. Lancaster Countv Prison, et al., 2:05-CV-2288
Dear Judge McLaughlin:
Enclosed please find a courtesy copy of Mellon Bank, N.A.'s Motion to
Dismiss and
accompanying memorandum, which were filed with the Clerk of Court via
ECF today.
Respectfully,
COZEN O'CONNOR
By: George M. Gowen III
GMGlsaw
Enclosure
cc: Stanley J. Caterbone (wl encl.)
Stuart A. Weiss, Esquire (wl encl.)
Stephanie Carfley, Esquire (wl encl.)
Christopher S. Underhill, Esquire (wi encl.)
Avalon Police Department (wi encl.)
Lancaster County Prison (wl encl.)
Lancaster County Sheriffs Department (w/

4:00 PM - 4:30 PM

Sheryl PR announce Breast Cancer Cancel Tours

February 25, 2006


Saturday
All Day

Mardi Gras - New Orleans


Please See Above

February 26, 2006


Sunday
All Day

Mardi Gras - New Orleans


Please See Above

February 27, 2006


Monday
All Day

Mardi Gras - New Orleans


Please See Above

Advanced Media Group

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February 28, 2006


Tuesday
12:00 AM - 10:00 AM

Mardi Gras - New Orleans


Please See Above

7:00 PM - 11:00 PM

Sheryl - Austin Bass Hall Concert -- Austin, Texas

March 01, 2006


Wednesday
9:00 AM - 9:30 AM

Lancaster County Commissioners Meeting -- Lancaster County Courthouse

10:00 AM - 10:00 AM

Lancaster County District Attorney Office -- Lancaster County Courthouse

Drop off letter to Donald Attorney

10:30 AM - 11:00 AM

Lancaster Chamber of Commerce -- Vine street, Lancaster, PA

Request 2006 fee schedule for Project Hope and Advanced Media Group. See Sharon Roda,
who works for the Economic Development and David Nikollof. Did not know she worked
there and asked to visit with her.
11:00 AM - 11:00 AM

Visit Joe Pinto at Cliiper Stadium

Stopped by to see Joe about the concert schedule for the summer. Joe was busy.
11:30 AM - 12:00 PM

Jim Warner, Lancaster County Solid Waste Authority -- Harrisburg Pike, Lancaster, PA

Visit with Jim, show him Captiva Island video on Ipod, and try to get Linda's phone number in
Orlando, and Sue Steere's number in Cayman Island if she saw Sheryl's Concert on Jan 7th.
12:00 PM - 1:00 PM

Ash Wednesday Mass -- St. Mary's Church, Lancaster, PA

1:30 PM - 2:30 PM

Visit Sis and Sully Sullivan -- Yardley Green Circle, Lancaster, PA

Try to get Elmo's email address and talk about the old times.
6:00 PM - 6:30 PM

Check out 38 ft RV Scott's Tune Up -- Willow Street Pike, Lancaster PA

Very clean condition, $98,500. said will negotiate. Saw one w/25k miles for 85k.
7:00 PM - 8:00 PM

Dorny's -- Blue Rock Road, Millersville, PA

Help dorny with his Dell order, and his email printing problem. Brett and Cindy stop by with
Notre Dame football Cards.

March 02, 2006


Thursday
3:00 PM - 3:30 PM

Phone call from Attorney JoLynn Stoy of PHFA

Another argument about getting the recording of my Appeal Hearing on Jan 18th in
Harrisburg. She again tried to lie her way out of the fact that they fabricated my statement in
theie finding. Hung up on her.
4:00 PM - 4:30 PM

Mail Certified letter to JoLynn Stoy

6:00 PM - 7:30 PM

Lombardoes Restuarant -- Harrisburg Pike

Mike lombardo will email cemetary in Italy with deceased from Lancaster Family's
6:00 PM - 7:30 PM

Lombardoes Restuarant -- Harrisburg Pike

Mike lombardo will email cemetary in Italy with deceased from


Lancaster Family's

Advanced Media Group

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March 02, 2006 Continued


Thursday
7:00 PM - 11:00 PM

Fiona - 3/2/06 WASHINGTONG DC MCI CENTER -- WASHINGTONG DC MCI CENTER

March 03, 2006


Friday
All Day

Sheryl Grand Prarie Nokia Theater -- Grand Prarie, Texas

March 04, 2006


Saturday
7:00 PM - 11:00 PM

Sheryl Corpus Cristi Concert -- Corpus Cristi, Texas

Concrete Street Amp

March 07, 2006


Tuesday
7:00 PM - 8:00 PM

Mind over fatter The key to weight loss may be in your head -- Holiday Inn, Greenfield Road, Lancaster,
PA

WHEN IT COMES to weight loss, success is mind over matter.


That's the theory of John Morgan, a certified hypnotist and
practitioner of neuro-linguistic programming.
Morgan's business partner, Doug O'Brien, will present the John Morgan
Weight Loss Seminar Tuesday, March 7, at the Holiday Inn on
Greenfield Road in Lancaster.
Hypnosis is often misunderstood by the general public, says Morgan,
who has presented his seminars for 25 years.
"I'm not going to make anybody quack like a duck or cluck like a
chicken," he says. "That's 'stage hypnosis,' where you pick out very
highly suggestible people from the audience. Everyone is suggestible
to what they want to be suggestible to."
Hypnosis, he notes, is nothing more than a trance state, which
everyone enters and leaves multiple times during the day.
"Have you ever spaced out or daydreamed? Have you ever missed your
exit on the highway when you're driving?" he asks. "Have you ever
talked to yourself? Those are moments when yo

7:00 PM - 8:00 PM

Mind over fatter The key to weight loss may be in your head -- Holiday Inn, Greenfield Road, Lancaster,
PA

WHEN IT COMES to weight loss, success is mind over matter.


That's the theory of John Morgan, a certified hypnotist and practitioner of neuro-linguistic
programming.
Morgan's business partner, Doug O'Brien, will present the John Morgan Weight Loss Seminar
Tuesday, March 7, at the Holiday Inn on Greenfield Road in Lancaster.
Hypnosis is often misunderstood by the general public, says Morgan, who has presented his
seminars for 25 years.
"I'm not going to make anybody quack like a duck or cluck like a chicken," he says. "That's
'stage hypnosis,' where you pick out very highly suggestible people from the audience.
Advanced Media Group

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March 07, 2006 Continued


Tuesday
Everyone is suggestible to what they want to be suggestible to."
Hypnosis, he notes, is nothing more than a trance state, which everyone enters and leaves
multiple times during the day.
"Have you ever spaced out or daydreamed? Have you ever missed your exit on the highway
when you're driving?" he asks. "Have you ever talked to yourself? Those are moments when
you're in a trance state.
"We formally get people to 'check out,' using this tool called hypnosis."
Morgan says hypnosis is especially effective as a weight-loss tool because it's all about
changing your mind-set, or the subconscious patterns developed since birth.
Through hypnosis, participants learn to rethink patterns that have influenced them all their
lives.
"These are the 'behind-the-scenes' thoughts, the patterns that you learned well before you
could think or speak," Morgan says. "Have you ever heard your parents say, 'Eat everything
on your plate,' or 'Waste not, want not'? Those are the things we hear as children that affect
us to this day."
Morgan says people often think they are too smart for hypnosis to work.
"It has nothing to do with smarts," he says. "Hypnosis doesn't work on your intellect; it works
on the part of the mind that is wide open to suggestion.
"Frankly, you didn't gain weight on your intellect. Nobody's intellect says, 'Go up two or three
sizes.' "
When participants are open to hypnosis, Morgan says, "The 'smarty-pants' part of our brain,
the part that knows everything, goes on vacation and gets out of the way, allowing the part of
our mind that runs our routines and patterns to be wide open to suggestion."
Morgan admits that some people are hesitant to believe in hypnosis, but that doesn't deter
him.
"I love skeptics," he says. "That tells me they have working brain cells. I tell them, 'Everything
you've come up with intellectually to this point to lose weight has not worked. Here's an
alternative way to try.' "
O'Brien, who will conduct Morgan's seminar in Lancaster, is skilled in a style called
"Ericksonian" hypnosis, Morgan says.
"This is conversational hypnosis," he explains. "He'll be doing a lot of storytelling."
Morgan says seminar participants can expect to be entertained.
"You'll learn something new, and you'll have a lot of fun," he says.
Morgan says his success rate is difficult to track because he has presented his ideas to
hundreds of thousands of people.
He points to his business partner, John Leslie, who lost 123 pounds on the program, as well
as countless testimonies as evidence that people who want to succeed, will.
"If you are open to this, if you weren't forced to be there by someone else, but you come on
your own accord and you are willing to follow up on what we say to do, you will get results,"
he says.
Advanced Media Group

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March 07, 2006 Continued


Tuesday
Jenn Reed, a registered dietitian and licensed dietitian nutritionist at Universal Athletic Club,
Lancaster, says hypnosis can be another tool in the weight-loss arsenal.
"I think people have tried everything to lose weight," she says. "Hypnosis would definitely fall
into that category. Weight loss is all about different strokes for different folks, and what works
for some may not work for others."
Reed agrees with Morgan that mind-set is a major part of weight-loss success.
"Everybody wants to lose weight, but not everybody wants to go through the hoops you need
to make changes occur," she says. "Your desire to lose weight has to be greater than your
desire to do nothing about it."
Wanting to lose weight is not enough, she says.
"You need something to trump that in your mind and say, 'I'm at the stage of readiness to
implement proper nutrition and exercise and make it happen.' "
She believes hypnosis can work, when paired with proper diet and exercise.
"It's important to learn the reasons why we overeat or we don't exercise," she says.
Alicia Wentz, clinical nutrition manager at Lancaster Regional Health Center, says hypnosis is
particularly appealing because participants think of it as the easy way out.
"Current culture has everyone looking for instant gratification in everything we do, including
weight-loss attempts," she says.
Successful weight loss, she says, is simple: "The energy or calories that we take in needs to
be less than the energy that we expend in order to lose weight."
Still, she says, behavior modification plays a huge part in long-term success.
"If hypnosis gets some people to change their behavior to include healthy eating and
exercise," she says, "then go for it."

March 09, 2006


Thursday
All Day

Conestoga Police Pleading Due -- Judge Leo Eckert, Millersville, PA

March 13, 2006


Monday
9:00 AM - 9:30 AM

Slept in with my wife

11:30 PM - 12:00 AM

Shook hands with my wife

Advanced Media Group

78

9/25/2006 10:13 AM

March 14, 2006


Tuesday
8:00 AM - 8:30 AM

Seed,preen,fertilize

8:00 AM - 8:30 AM

Seed,preen,fertilize

March 15, 2006


Wednesday
8:00 AM - 8:30 AM

Received Tape From PA Housing Finance Agency -- Conestoga Post Office, Conestoga,PA

11:30 AM - 12:00 PM

Reading BK Court Parking Tickets -- Conestoga Post Office


MDJ Name: Hm.

THOMAS H. U V I O S
1259 H 10TE ST

Reading, PA
COMMONWEALTH OF PENNSYLVANIA SUMMONS
COUNTY OF: FOR A SUMMARY CASE
MW. oist

NO.:

TRAFFIC

PENNSYLVANIA
23-1-04
VS.
DEFENDANT: NAME and ADDRESS

AT^^, STAU
220 STOH# HILL RD
Conestoga, PA 17516
COMMONWEALTH OF
ST- CAL

J
220 Stone HILL RD
C O ~ S P~A 1,75 16
0 115.509 P- OVERT= AT SPACBCT 421
ICharae)

Date Filed: 2/17/06


.-.
---

FINE: -- COSTS:; gc; . - OTHER: -.


'-

FINE AND COSTS /SOD

j q */C 6%

OFFENSE: DATE: 12/15/05 TIME: 1:30PM LOCATION: 400 COURT ST


VEHICLE: UTE NUMBER: ~ ~ ~ 4 1 5 3 REGISTRATION YEAR:=~MAKE: H-1).

TYPE: OFFICERID: sp-f -IWITHIN


TEN (10) DAYS OF RECEIPT OF THlS SUMMONS YOU MUST:
1 PLEAD NOT GIJILN by notifying the magisterial district judge above In writing and
forwarding an amount equal to the total due
specified above, lus $6.00 ;It he offense charged is a motor vehicle offense, as required by
statute, o~ if the line and costs ore not
specified, toward !the sum uf550.00 as collateral for your appearance at trial; OR,
2. PLEAD NOT GUILTY by appearing before the magisterial district judge above and posting
such collateral for your appearance as the
majistereal district .iu da- e shali req.uire: OR.~ .
3. If you cannot afford to pa the total due specified above or the $50.00 collateral, you must
appear before the magisterial district judge
above to enter a plea; o&,
4. PLEAD GUILTY by notifyi" the magisterial district judge above in writing, signing the
appropriate plea below, and forwarding an amount
Advanced Media Group

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9/25/2006 10:13 AM

March 15, 2006 Continued


Wednesday
eaual to the total due sDecl8ed above: OR.
5. PLEAD GUILTY by appearing before the magisterial district judge above ll the total due is
not specified.
IF YOU ARE FOUND GUILTY BY THE MAGISTERIAL DISTRICT JUDGE AND WISH TO
APPEAL, YOU HAVE THIRTY (30) DAYS TO
REQUEST A TRIAL DE NOVO IN THE COURT OF COMMON PLEAS.
ALL CHECKS OR MONEY ORDERS FOR FINE. COSTS. FEES, OR FOR COLLATERAL.
SHALL BE MADE PAYABLE TO
"MAGISTERIAL DISTRICT NO. 23 - 1- 04 ' IDENTIFIED ABOVE AND SENT TO THE
ADDRESS ABOVE.
IF YOU HAVE BEEN CHARGED WlTH A SUMMARY OFFENSE UNDER STATE STATUTE,
FAILURETO RESPOND TO
THlS SUMMONS WITHIN THE TIME SPECIFIED ABOVE SHALL RESULT IN THE
ISSUANCE OF A WARRANT FOR
YOUR ARREST.
- IF YOU HAVE BEEN CHARGED WlTH A VIOLATION OF A LOCAL ORDINANCE OR A
PARKING OFFENSE, FAILURE
TO RESPOND SHALL RESULT IN THE ISSUANCE OF A WARRANT FOR YOUR ARREST.
If ou are disabled and require a reasonable accommodation tqgain access to the Magisterial
~ZtriCCt ourt and its services, please contact the Mag~steriaDl ~stricCt ourt at the above
address
or telephone number. We are unable to provide transportation.
IF YOU INTEND TO RESPOND BY MAIL:
Detach and complete the lower portion of this summons with your signature on the
appropriate plea line, (1) or (2).
if you PLEAD NOT GUILTY, your check or money order must be in the amount of the total
due specified above, plus, $6.0msk
if the offense charged is a motor venlcle oifense. If the total due is not specified, you! check
or money order must be In the
amount of $50.00 which will be held for collateral for your appearance at tr~alY. ou w~lbl e
notlfled by mall of your date and time
for trial.
If you PLEAD GUILTY, enclose a check or money order in the amount of the total due
specified above. Failure to remit the full
amount of the fine, costs and fees will result in the issuance of a warrant for your arrest. Your
Check or money order shali be made
payable to the "Magisterial Distrkl No.' above.
(DETACH HERE) --.-..------------------ -----------------------I represent that I make this plea knowingly, o indicate a plea when forwarding an amount
equal
to the total due specified above will result in
1. I PLEAD NOT GUILTY. Docket No.: TR-0003020-06
2. 1 PLEAD GUILN. / - Citation No.: 27912883
iopc 617k05 DATB PRI- I 3/01/06(Signature)
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: B-S
Mag. DiSt. No:
23-1-04
MDJ Name: Hon.
THOMAS H. UVIOS
Md'ess: 1259 U 10, ST
ILgllDIU6, PA
Telephone- (610 ) 373-4424 19604-0000
STAN CATERBOm
220 STOm HILL RD
C ~ S T O Q A , PA 17516
SUMMONS
FOR A SUMMARY CASE
TRAFFIC
Advanced Media Group

80

9/25/2006 10:14 AM

March 15, 2006 Continued


Wednesday
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT: NAME ma ADDRESS
k A ~ ST~AH ~ ,
220 STOlVE HILL RD
CO~STOGII, PA 17516
Date Filed: 2/17/06
O S15-409 IHSPECTIOB STIClCEIC EXPIRED OR MISSIIOQ
(Charge)
4 FIN-- - - -- COSTS -- FINE AND COSTS: $100.00 $39.50 $10.00
OFFENSE: DATE: 12/15/05 TIME: 1:31PN LOCATION: 400 COURT ST
VEHICLE: PLATE NUMBER: fll14153 REGISTRATION Y E A R : ~ ~ M K E :
TYPE: OFFICER ID: BP-r -IllLU
WITHIN TEN (10) DAYS OF RECEIPT OF THlS SUMMONS YOU MUST:
1 PI FAD NOT GUILTY by notilying the magister~adl istrict judge above ln writing and
forwarding an amount equal to the total dde
specified above. IJS$ 6.00 d the otlense charged is a motor vehcle onense. as requirea oy
srdtula, UI d tne f~nea nd costs arc not
specified, ~ U I W ~ K ? UbI ~u ll) 01 S0.00 as collateral far your appearance at trfal; OR,
2. PLEAD NOT GUILTY by appearing before the magisterial district judge above and posting
such collateral for your appearance as the
magisterial district iudge shall requlre: OR,
3. If you cannot afford to pay the total due specified above or the $50.00 collateral, you must
appear before the magisterial district iudge
above to enter a plea; OR,
4. PLEAD GUILTY notlfyln the magisterial district judge above in writing, signing the
appropriate plea below, and forwarding an amount
equai to the totalxe sbeAed above: OR,
5. PLEAD GUILTY by appearing before the magisteial district judge above If the total due is
not specified.
IF YOU ARE FOUND GUILTY BY THE MAGISTERIAL DISTRICT JUDGE AND WISH TO
APPEAL, YOU HAVE THIRTY (30) DAYS TO
REQUEST A TRIAL DE NOVO IN THE COURT OF COMMON PLEAS.
ALL CHECKS OR MONEY ORDERS FOR FINE, COSTS, FEES, OR FOR COLLATERAL,
SHALL BE MADE PAYABLE TO
'MAGISTERIAL DISTRICT NO. 23 - 1-04 " IDENTIFIED ABOVE AND SENTTO THE
ADDRESS ABOVE.
IF YOU HAVE BEEN CHARGED WlTH A SUMMARY OFFENSE UNDER STATE STATUTE,
FAILURE TO RESPOND TO
THlS SUMMONS WITHIN THE TIME SPECIFIED ABOVE SHALL RESULT IN THE
ISSUANCE OF A WARRANT FOR
YOUR ARREST.
IF YOU HAVE BEEN CHARGED WlTH A VIOLATION OF A LOCAL ORDINANCE OR A
PARKING OFFENSE, FAILURE
TO RESPOND SHALL RESULT IN M E ISSUANCE OF A WARRANT FOR YOUR ARREST.
IDf iysotruic at rCeo duisrta abnledd i.tasn sde rrev? cu eisre, pal ereaasseo cnoanbtlaec at
cthcoe mMmago~dsattieornia t~ol i %a!cn taC cocuesrts a tto t hthee a Mboavgeis
atderdirael ss
or telephone number. We are unable to provide transportation.
IF YOU INTEND TO RESPOND BY MAIL:
Detilch and complete the lower portion of this summons with your signature on the
appropriate plea line, (1) or (2).
if you PLEAD NOT GUILN. your cnecr, or money omer must oe in Me amount of the total aue
specdied above, Plus, !36.0EostS
#the otfense charged e a motor vehlcle otfense It me total due 1s not speclfieo, you! clwck or
money omer must oc in the
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March 15, 2006 Continued


Wednesday
amoJnt 01$ 50.00 whtch WIII be hela for collatera. for your appearance at tr~alY. OU w~lnl e
nntlflw by mall of your oate ana time
for trm
If you PLEAD GUILTY, enclose s, cneck or money order m me amount 01 the total due
specified above. Fail~leto remiI me full
amount of the 1:ne. costs and fees will resblt ln tne issdance of a warrant lor yodr arrest. Your
check or money order shall De made
payable to the 'Magister~aDi istrict No.' above.
(DETACH HERE) --.-----------------I-----------------------------n MAIL LN PLEA
I represent that I make this plea Fowingly, vo indicate a plea when forwarding an amount
equal
to the total due specified above wlll result in a
1. I PLEAD NOT GUILTY. Docket No.: m-0003021-06
2. 1 PLEAD GUILTY. 1 Citation No.: 27912894
AOPC 617A-05 DAfl PnImm: 3/01/06(Signature'

9:00 PM - 10:00 PM

5/8 Plywood Stolen -- Rock Hill Restuarant, Conestoga PA

4X8 Sheet taken while eating at Rock Hill.


Roth, hahn

March 16, 2006


Thursday
All Day

File BK Fulton Bank Order/Recusal/Updated Matrix

All Day

File BK Fulton Bank Order/Recusal/Updated Matrix

March 18, 2006


Saturday
6:00 PM - 6:30 PM

RV on Willow Street Pike -- Willow Street, PA

Look at Rv with the owner, Scott of Scotts Tune Up, in Millersville $98500
7:00 PM - 7:30 PM

Dorney's -- Duke Street, Millersville, PA

Stop by and help him with his Dell order and email problem. Brett and Cindy stop by with
Notre Dame football cards.

March 21, 2006


Tuesday
6:30 AM - 7:00 AM

Someone shot at me -- 220 Stone Hill Road

At approx 6:30 am this morning I was out by the side of my house in the woods tying up a
tree and someone from the adjacent valley shot one shot which sounded like it was it could
have been at me. There were no hunters in the area that I could see. There are homes on
valley road that have a clear line of sight.
I immediately went to the Southern Regional Police Dept on Main Street and found Officer
Buzzer inside. I said "someone just shot at me" and he looked at me like I was lying. I said
why don't you like me, and he said "because you don't get any help". I said what are you
taking about and he said you don't take your medicine". I said you are nuts, I am going to file
a civil lawsuit against you. Someone justs shot at me and he ordered me out of the station,
then he went and bent his elbow and put his forearm in my throat and pushed me out the
door.
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Tuesday
As he backed me out of the door, Chief Fiorell pulled up and got out of his car, I said
someone just shot at me, and I said you have to get rid of that asshole, he shouted at me to
get out, I approached him, and smelled alcholol all over his breath, and I said you smell llike
you were just drinking, and said I was going to the DA's office.
I left and went to Valley road and saw a black pickup truck behind one of the houses on
Valley road, which was running and warming up. I saw no hunters around from field where it
sounded like ths shot came from.
Then Bill Houston's son walked out to get the bus, and loolked scared, I asked him if he heard
any shots this morning and he said no. I asked him again, and he said no again.
Signed, Stan J. Caterbone

Advanced Media Group


Stan Caterbone
mailto: amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Fax: (717) 427-1621
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
4:00 PM - 5:00 PM

EXCELSIOR PLACE INVESTOR -- SOUTHERN MARKET, LANCASTER, PA

Excelsior to get new investor


Partner to be revealed today for E. King project

BY PAULA HOLZMAN, Intelligencer Journal Staff


Today's city Redevelopment Authority meeting could break the deadlock on plans to
renovate several long-vacant properties in
the 100 block of East King Street. Local developers Rich Heslin and John Meeder and
Baltimore-based developer Stanley Keyser had been
planning to renovate two properties, Excelsior Hall, 125-131 E. King St., and the Galiano
buildings, 141-159 E. King St. Both are owned by
Redevelopment Authority of the City of Lancaster.
The team in November began formulating detailed plans and financing, a step required
before the authority would sell the buildings.
But Keyser -- who had been assembling the project's finances -- pulled out of the deal
about 45 days ago, said Chuck Maneval, the city's director of community and economic
development. "We don't have a clear understanding of why," Maneval said. Heslin
requested 30 days to secure another investor to take Keyser's place. Maneval said the
developers told him they will name the new investor at today's 5:15 p.m. meeting at
Southern Market
Center. Heslin declined comment on the project.
"We're in the midst of very sensitive negotiations," he said. If the new team meets the
authority's requirements, the two parties can set a date to settle on the properties,
Maneval said. Built in 1875, Excelsior Hall has been empty since 1977. The city acquired it
in 1997 Heslin, Keyser and Meeder last fall proposed spending $5 million to convert the
building into 15 condominiums and a restaurant. The city took ownership of the Galiano
buildings after developer John Galiano defaulted on their mortgages before his death in
2001. The team discussed turning those buildings into first-floor commercial space with
residential units on the upper floors.
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Tuesday
"The development of the Excelsior Building and its companion property, the Galiano
building(s), and others will provide an excellent source of employment, historic
preservation and new taxes for the city," Maneval said. He said it makes sense for one
developer to tackle several projects on the same block to
strengthen the economic impact of the improvements. 2004-2006 Lancaster

Newspapers

PO Box 1328, Lancaster PA 17608, (717) 291-8811


Terms of Service Privacy Policy

March 22, 2006


Wednesday
6:30 PM - 7:00 PM

PA Housing & Finance Agency letter to Lin Patch & JoLynn Stoy

FAX COVER SHEET


TO:
Lin Patch, Appeals Officer HEMAP Appeals Unit
COMPANY:
Pa Housing and Finance Agency
FAX NUMBER
FROM: Stan Caterbone
DATE: March 22, 2006
RE
COVER MESSAGE
+1-7177803905
Stan Caterbone
3/22/06 2:58 PM

Appeal to Commonwealth Courts I have recieved the tape recording of my appeal hearing on
March 15, 2006, and upon urther review, the following statement was not found on the
recording of my hearing: The applicant provided the following tatement with respect to the
cause of the mortgage delinquency: "These circumstances came about when I met with
fficials from International Signal & Control, plc., in 1987 and became involved with agencies
providing the United States of America associated with the highest level of Intelligence and
National Security. I was called upon by ISC to help to provide inancial assistance for
portions of thier [sic] operations. I immediately became suspect of these circumstances
following my eeting of June 23, 1987; and alerted various officials of local, state, and federal
authorities. It was these allegations that esulted in a 'Billion Dollar Fraud' that was
successfully prosecuted by he United State Attorney General and the Federal Bureus [sic] of
Investigation in 1990. This [sic] circumstances have been before now, a dire problem within
the scope and bounds of our National Security. These circumstances are now able to be
adjucated within the Court of Law under the provisions and doctrines of the Constitution of the
United States of America. During these activities, certain agencies of the ntelligence
community, began extracting information on present and future issues concerning the current
state of affairs of he United States of America." I also have learned that Mr. Cooper in the
hearing stated that an appeal to the ommonwealth ourts time expired after 30 days, or 6
days after you provided me with the recorded trascript, which I initially requested on or bout
February 10, 2006. Was it your intention to delay the delivery of the tape recording so that the
time for filing my appeal ould have expired?
Respectfully,

Stan J. Caterbone
Advanced Media Group
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Wednesday

Lin Patch, Appeals Officer HEMAP Appeals Unit


www.efax.com

March 24, 2006


Friday
8:00 AM - 8:30 AM

Reading Plea Due

7:00 PM - 12:00 AM

Sheryl on Date

See file folder for details

March 25, 2006


Saturday
6:30 AM - 7:00 AM

Key to Honda Stolen Mom's House and Billy Plank -- 1250 Fremont Street

Found beer can in back yard, and newspapers in kitchen. Noticed people may have been
inside house. While there, white small car pulled up in back beside Billy Planks truck, got out
and crawled under truck. Was a clue about the key under my van that was apparently stolen
while my Honda was parked in the front of my house. Decided to go and put evidence in
Fulton Banks Safety Deposit Box.
7:00 AM - 8:00 AM

McDonald for Breakfast -- Columbia Avenue

7:00 AM - 8:00 AM

Sheryl left for home -- 1331 Washburn Raod, Kennet, MO 55331

Sheryl headed for Interstate 8

7:00 AM - 7:30 AM

Fulton Bank Parking Lot

Went and sat and waited for Bank to open at 9:00 am. Forgot my wallet at home, and
thought someone may be stealing my key to Safety Deposit Bank, while I was there. Noticed
cars pulling into lot.
7:30 AM - 8:00 AM

Wallmart Parking Lot

8:30 AM - 9:00 AM

Went home to get key for Safety Deposit Box

9:00 AM - 10:00 AM

Hypnotized (Key) Fulton Bank Safety Deposit Box -- Columbia Avenue, Lancaster PA

Hypnotized with the Key Trick, Alarm went off on car, don't know how,
younger woman beside my car, lipstick. Lost key to ignition, got out
of car, stood beside car, went back into car and key was gone. Went
to get key under car, and it was gone. Wanted to Switch Safety
Deposit Boxes. Alarm would not go off, left it on while I went into
Bank. Turned alarm off with keyfab, and remembered that I had
another key in pouch. Found key hidden in rear cupholder under a
file folder.
See Digatal audio of Fulton Bank to change Safety Deposit Box.
Fulton Bank tried to disuade me from changing Safety Deposit box.

9:00 AM - 10:00 AM

Hypnotized (Key) Fulton Bank Safety Deposit Box -- Columbia Avenue, Lancaster PA

Hypnotized with the Key Trick, Alarm went off on car, don't know how, younger woman beside
my car, lipstick. Lost key to ignition, got out of car, stood beside car, went back into car and
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March 25, 2006 Continued


Saturday
key was gone. Went to get key under car, and it was gone. Wanted to Switch Safety Deposit
Boxes. Alarm would not go off, left it on while I went into Bank. Turned alarm off with
keyfab, and remembered that I had another key in pouch. Found key hidden in rear
cupholder under a file folder.
See Digatal audio of Fulton Bank to change Safety Deposit Box. Fulton Bank tried to disuade
me from changing Safety Deposit box.
11:00 AM - 12:00 PM

Gib Armstrong Office -- North Queen Street, Lancaster, PA

Pick up Right to Know and Freedom of Information Act documents.

5:00 PM - 6:00 PM

Bank Account Robbed

Found about $1000 missing from Soveriegn Account

6:00 PM - 7:00 PM

Alley Cat

Brett, one drink

10:00 PM - 11:00 PM

D&S Brasserie -- Lincoln Hwy East

Owner and Manager said East Lampeter Police Contacted them and said I
was no longer allowed to visit establishment due to the incident in
September. Asked me to leave, and I said "this is your bar, that is
fine" and quitly left.

11:00 PM - 12:00 AM

Sheryl forgot where she was

11:00 PM - 12:00 AM

Tobias Frog -- Columbia Avenue, Lancaster PA

Steve said "Mom is dying, and you must come home, aren't you going to
feel guilty when she dies tonight?". Sheryl was still enroute.

March 26, 2006


Sunday
12:00 AM - 1:00 AM

Arrived Home at 220 Stone Hill Road

Came home to wait for Sheryl's arrival.

1:00 AM - 2:00 AM

Sheryl Said she was at Alley Cat

Sheryl said she was at Alley Cat


he would show her the way home.
something, and said someone else
left. Lance and friends hook up

2:00 AM - 3:00 AM

to give Brett a package, Brett said


Said he had to take care of
would. 3 guys came in and Sheryl
with Sheryl. Lance.....

Sheryl daid she was lost

Said she was in neigbors driveway.

3:00 AM - 4:00 AM

Sheryl said she was home in Kennett.

Doesn't know what happened.

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March 26, 2006 Continued


Sunday
9:00 AM - 10:00 AM

Found Images of Ghost on Survallience Video

See video Clips

1:00 PM - 2:00 PM

Brenda (Caterbone) and Husband Visit with Ann and Tee

Said left Heart Group, G. retired 10 years ago to N Carolina


Said George Clooney was Italian.

1:00 PM - 2:00 PM

Duplicate Fulton Bank Recording at Ann & Tee's -- 1251 Freemont Street

Help Tee with his virus.

2:00 PM - 3:00 PM

YSG Hacked Sheryls Website

Found hackers on Sheryls Website, took images.

March 28, 2006


Tuesday
1:00 PM - 1:30 PM

Received Judge Fehling Order for Hearing

UNITED STATES BANKRUPTCY COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
IN KE:
Stanley J. Catdone,
Chapter 11
NO. 05-23059
DcMor
ORDER
AND NOW, this 20 day of March, 2006, upon our consideration of fkbtor's Request for
Hearin& which Request was flied today, lT IS HEWY ORDERED that Debtor's Request for
Heering is denied because nothing is pending befare this Court on which a hearing might be
held.
BY THE COURT
United States Bankruptcy Judge

March 29, 2006


Wednesday
1:00 PM - 1:30 PM

Received Judicial conduct Board Request For Information

COMMONWEALTH OF PENNSYLVANIA
JUDICIAL CONDUCT BOARD
PENNSYLVANIPAL PLACE 301 CHESTNUT STREET SUITE 403.
HARRISBURPG, PA, 17101 717-234-7911

March 27,2006
Stanley Caterbone
220 Stone Hill Road
Conestoga, PA 17516
RE: Judicial Conduct Board Complaint No. 05-256
(Magisterial District Judge Leo H. Eckert, Jr. - Lancaster County)
Dear Mr. Caterbone:
The Board is presently reviewing your complaint.
In your complaint, you state that you secured a court reporter to transcribe the
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March 29, 2006 Continued


Wednesday
hearing on your citation for Harassment held on May 10,2005. As your complaint
claims that District Judge Eckert displayed improper demeanor toward you at that time,
the Board is requesting that you provide a copy of the transcript for review.
As you privately arranged for a reporter, the transcript is not a part of the official
district court file. Therefore, the Board cannot obtain it on its own. Since you did not
include a copy with your complaint, I am requesting that you provide it at this time.
Please provide the additional requested information to the Board within
thirty (30) days from the date of this letter.
I remind you the Pennsylvania Constitution provides that all proceedings of the
Board are confidential except when the subject of the investigation waives
confidentiality. Pa. Const. Art. V, 418(a)(8). The Board cannot provide status reports of
its investigation; however, you will be notified of the Board's decision on your complaint
following appropriate review.
Very truly yours,
FJP I1 Deputy Chief Counsel
All Complaints of the Board are not public information and all proceedings relating to a
complaint are confidential and the records of any deliberations shall be confidential.
See Pa Const Article V and 18

2:00 PM - 2:30 PM

New Chapter 11 DEBTOR REQUEST FOR HEARING

UNITED STATES BANKRUPTCY COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
:
:
Chapter 11
Stanley J. Caterbone,
:
NO. 05-23059-TMT
Debtor
:
DEBTOR REQUEST FOR HEARING
On this day, March 29, 2006, Debtor hereby request a hearing with the Bankruptcy
Judge assigned to case No. 05-23059 for the following reasons:
A)

B)
C)

D)
E)

F)
Advanced Media Group

Debtor realizes that the reorganization plan is overdue and would like
the courts to address the determination as to how the debtor should
proceed in conjunction with the Federal Courts refusal to grant the
plaintiff of the Civil Action 05-2288 a hearing in that case.
Debtor has sufficient evidence that court documents have been subject
to erroneous removed from the court docket.
Debtor has creditors that refuse to abide by the
Federal rules and regulations of the bankruptcy code and would like your
honor to advise as to how to proceed and how to continue the debtors
chapter 11-bankruptcy petition.
Debtor has sufficient evidence of persons and or organizations that have
continued to thwart the debtors attempt to continue his business, thus
further the delaying of the debtor to pay down his debts to his creditors.
Debtor has sufficient evidence that Fulton Bank has been involved with
attempts to intimidate debtor to violate several rules and regulations of
the Federal Bankruptcy Code and the rules of Civil Procedures
concerning the same.
Debtor has sufficient knowledge and evidence of a continued campaign
88

9/25/2006 10:14 AM

March 29, 2006 Continued


Wednesday

G)

by unknown computer hackers to thwart the actions of the debtor to


continue his operations of his business and his efforts to pay his
creditors and finalize and successfully complete his bankruptcy
proceedings.
Debtor will again request a hearing from the Honorable Judge Mary A.
McLaughlin of the United States District Court for the Eastern District of
Pennsylvania regarding the Civil Action 05-2288

Dated March 29, 2006

_____________________________
Stanley J. Caterbone, Debtor, Pro Se
220 Stone Hill Road
Conestoga, PA 17516
(717) 431-8184

CERTIFICATE OF SERVICE
U.S. Bankruptcy Court
Eastern District of Pennsylvania (Reading)
Bankruptcy Petition #: 05-23059-tmt
Stanley J. Caterbone represented by Stanley J. Caterbone PRO SE
220 Stone Hill Road Conestoga, PA 19516
SSN: xxx-xx-0959
Debtor request for hearing dated March 29, 2006
Service To:
Mr. Hugh Ward
Office of the Trustee
U.S. Department of Justice
833 Chestnut Street
Suite 500
Philadelphia, PA 19107
Fax: 215.597.5795
Re: Case No. 05-23059
United States District Court for the Eastern District of Pennsylvania
Honorable Judge Mary A. McLaughlin
Room # 13614
601 Market Street, Room 2609
Philadelphia, PA 19106-1748
1 Citi Bank Credit Card
P.O. Box 183063
Columbus. OH 4321 8-3063
2 Bank of America
P.O. Box 53132
Phoenix, AZ 85072-31 32
3 PayPal Buyer Credit
P.O. Box 960080
Orlando, FL 32896-0080
4 Discover
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9/25/2006 10:14 AM

March 29, 2006 Continued


Wednesday
P.O. Box 15251
Wilrnington, DE 19886-5251
5 Bank of America
P.O. Box 1070
Newark, NJ 07101-1070
6 ChaselBank One
P.O. Box 15153
Wilmington, DE 19886-51 53
7 AAA Financial Services
P.O. Box 15287
Wilmington, DE 19886-5287
8 AAA Financial Services
P.O. Box 15287
Wilmington, DE 19886-5287
9 Wells Fargo Financial Services
1941 Fruitville Pike S14
Lancaster. PA 1760110 Fulton Mortgage Services
P.O. Box 69
East Petersburg, PA 17520-0069
11 Comcast
P.O. Box 3006
Southeaster, PA 19398-3006
12 Sprint
P.O. Box 1769
Newark, NJ 07101-1769
13 Lancaster Regional Medical Ctr
P.O. Box 3434
Lancaster, PA 17604-3434
14 Capitol Blue Cross
P.O.BOX 778990
Harrisburg, PA 17177-8990
15 Donegal Mutual Insurance
P.O. Box 300
Marietta,PA 17547-0300
16 Verizon
P.O. Box 28000
Lehigh Valley, PA 18002-8000
17 FedEx
P.O. BOX 374161
Pittsburg, PA 15250-7461
18 PP&L
2 North Ninth Street
Allentown, PA 18101
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March 29, 2006 Continued


Wednesday
19 Yolanda Caterbone
1250 Frernont Street
Lancaster, PA 17603
20 Willow Run Veterinary Clinic
320 Beaver Valley Pike
Willow Street, PA 17584
21 Yarnell Security Systems
131 Elm Avenue
Lancaster, PA 17602
22 Cingular Wireless
4300 Kell Road
Wichita Falls, TX 76309
23 Honda Financial Services
P.O. Box 7829
Philadelphia, PA 19101-7829
24Beneficial
P.O. Box 4153-K
Carol Stream, IL 60197-4153
25 District Magistrate 23-1-04
Thomas H. Xavios
1209 North 10th Street
Reading, PA 19604
610-373-44246
26District Justice Leo H. Eckert, Jr.
847 Stehman Road
Millersville, PA 17551
Certificates of Service were sent by United States 1st Class Mail on March 30, 2006.

By, ________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone, Debtor
220 Stone Hill Road
Conestoga, PA 17516
(717) 431-8184

4:30 PM - 5:00 PM

Chapter 11 Request For Hearing to McLaughlin,Ward,Fehling,Bongiovi -- All Serviced and Confirmed

UNITED STATES BANKRUPTCY COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
:
:
Chapter 11
Stanley J. Caterbone,
:
NO. 05-23059-TMT
Debtor
:
DEBTOR REQUEST FOR HEARING
On this day, March 29, 2006, Debtor hereby request a hearing with the Bankruptcy
Advanced Media Group

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9/25/2006 10:14 AM

March 29, 2006 Continued


Wednesday
Judge assigned to case No. 05-23059 for the following reasons:
A)

B)
C)

D)
E)

F)

G)

Debtor realizes that the reorganization plan is overdue and would like
the courts to address the determination as to how the debtor should
proceed in conjunction with the Federal Courts refusal to grant the
plaintiff of the Civil Action 05-2288 a hearing in that case.
Debtor has sufficient evidence that court documents have been subject
to erroneous removed from the court docket.
Debtor has creditors that refuse to abide by the
Federal rules and regulations of the bankruptcy code and would like your
honor to advise as to how to proceed and how to continue the debtors
chapter 11-bankruptcy petition.
Debtor has sufficient evidence of persons and or organizations that have
continued to thwart the debtors attempt to continue his business, thus
further the delaying of the debtor to pay down his debts to his creditors.
Debtor has sufficient evidence that Fulton Bank has been involved with
attempts to intimidate debtor to violate several rules and regulations of
the Federal Bankruptcy Code and the rules of Civil Procedures
concerning the same.
Debtor has sufficient knowledge and evidence of a continued campaign
by unknown computer hackers to thwart the actions of the debtor to
continue his operations of his business and his efforts to pay his
creditors and finalize and successfully complete his bankruptcy
proceedings.
Debtor will again request a hearing from the Honorable Judge Mary A.
McLaughlin of the United States District Court for the Eastern District of
Pennsylvania regarding the Civil Action 05-2288

Dated March 29, 2006

_____________________________
Stanley J. Caterbone, Debtor, Pro Se
220 Stone Hill Road
Conestoga, PA 17516
(717) 431-8184

CERTIFICATE OF SERVICE
U.S. Bankruptcy Court
Eastern District of Pennsylvania (Reading)
Bankruptcy Petition #: 05-23059-tmt
Stanley J. Caterbone represented by Stanley J. Caterbone PRO SE
220 Stone Hill Road Conestoga, PA 19516
SSN: xxx-xx-0959
Debtor request for hearing dated March 29, 2006
Service To:
Mr. Hugh Ward
Office of the Trustee
U.S. Department of Justice
833 Chestnut Street
Suite 500
Philadelphia, PA 19107
Fax: 215.597.5795
Re: Case No. 05-23059
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March 29, 2006 Continued


Wednesday
United States District Court for the Eastern District of Pennsylvania
Honorable Judge Mary A. McLaughlin
Room # 13614
601 Market Street, Room 2609
Philadelphia, PA 19106-1748
1 Citi Bank Credit Card
P.O. Box 183063
Columbus. OH 4321 8-3063
2 Bank of America
P.O. Box 53132
Phoenix, AZ 85072-31 32
3 PayPal Buyer Credit
P.O. Box 960080
Orlando, FL 32896-0080
4 Discover
P.O. Box 15251
Wilrnington, DE 19886-5251
5 Bank of America
P.O. Box 1070
Newark, NJ 07101-1070
6 ChaselBank One
P.O. Box 15153
Wilmington, DE 19886-51 53
7 AAA Financial Services
P.O. Box 15287
Wilmington, DE 19886-5287
8 AAA Financial Services
P.O. Box 15287
Wilmington, DE 19886-5287
9 Wells Fargo Financial Services
1941 Fruitville Pike S14
Lancaster. PA 1760110 Fulton Mortgage Services
P.O. Box 69
East Petersburg, PA 17520-0069
11 Comcast
P.O. Box 3006
Southeaster, PA 19398-3006
12 Sprint
P.O. Box 1769
Newark, NJ 07101-1769
13 Lancaster Regional Medical Ctr
P.O. Box 3434
Lancaster, PA 17604-3434
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March 29, 2006 Continued


Wednesday
14 Capitol Blue Cross
P.O.BOX 778990
Harrisburg, PA 17177-8990
15 Donegal Mutual Insurance
P.O. Box 300
Marietta,PA 17547-0300
16 Verizon
P.O. Box 28000
Lehigh Valley, PA 18002-8000
17 FedEx
P.O. BOX 374161
Pittsburg, PA 15250-7461
18 PP&L
2 North Ninth Street
Allentown, PA 18101
19 Yolanda Caterbone
1250 Frernont Street
Lancaster, PA 17603
20 Willow Run Veterinary Clinic
320 Beaver Valley Pike
Willow Street, PA 17584
21 Yarnell Security Systems
131 Elm Avenue
Lancaster, PA 17602
22 Cingular Wireless
4300 Kell Road
Wichita Falls, TX 76309
23 Honda Financial Services
P.O. Box 7829
Philadelphia, PA 19101-7829
24Beneficial
P.O. Box 4153-K
Carol Stream, IL 60197-4153
25 District Magistrate 23-1-04
Thomas H. Xavios
1209 North 10th Street
Reading, PA 19604
610-373-44246
26District Justice Leo H. Eckert, Jr.
847 Stehman Road
Millersville, PA 17551
Certificates of Service were sent by United States 1st Class Mail on March 30, 2006.

By, ________________________________
Stanley J. Caterbone, Pro Se
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March 29, 2006 Continued


Wednesday
Stanley J. Caterbone, Debtor
220 Stone Hill Road
Conestoga, PA 17516
(717) 431-8184

March 30, 2006


Thursday
8:00 AM - 8:30 AM

All Phone calls rerouted -- 220 stone Hill Road

All phone calls to State Police rerouted while trying to get Sheryl Help while persons try to
break into Hotel Room at the Chicago O'Hara Hilton
12:00 PM - 12:30 PM

Sheryl Problems In Hotel Room

4:00 PM - 4:30 PM

Sheryl left for airport (Kennett)

6:00 PM - 6:30 PM

Sheryl flight to Chicago O'Hara Aiport

10:00 PM - 10:30 PM

Sheryl check in Chicago O'Hara Hilton -- Chicago O'Hara Airport

March 31, 2006


Friday
All Day

Wendall arrive in Lancaster Aiport routed to Philly -- Lancaster Airport

Lancaster Aiport Tower rerouted flight to Phil


2:00 AM - 2:30 AM

Call and Talk to Wendell & Bernice Crow -- 220 Stone Hill

2:00 AM - 2:30 AM

Supposedly FBI arrives to Sheryl's Room

FBI (imposter?) arrives at Chicago O'Hara Hilton to Sheryls Room, Sheryl would not open
door, said they were arresting persons outside sheryl's room, said someone had gun
4:30 AM - 5:00 AM

Sheryl Accusted In Aiplane Chloro & Mace -- Chicago O'[Haro Aiport in Plane

Lead into plane 2 hours before original flight


3 or 4 Men
Chicago Police Imposter mace
6:30 AM - 8:30 AM

Sheryl Flight to Hia Airport -- Chicago O'Hara

Flight to Harrisburg International Airport


Arrival ETA at MDT at 11:18 pm
9:00 AM - 9:00 AM

Judge Fehling Order Denying Motion For Hearing of March 26 2006

UNITED STATES BANKRUPTCY COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
IN RE - 11
Stanley 1. Caterbone.
NO. 05-23059 - REF
Debtor

ORDER
AND NOW, this 3 1 day of Msroh, 2006, upon our consideration of Debtor's Request for
Hearing, dated March 29.2006, and filed March 30,2006. which Rsquest is the second such
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March 31, 2006 Continued


Friday
procedural and substantive issues that Debtor may be king in his pendiog Chapter 11
proceeding. and which Request specifically requests advice on the following:
A. Resuming certain litigation peading in the U.S. District Court for the Eastern District
of Pennsylvania;
B. Dealing with his belief that certain court documents that have been erroneously removed
from the Court Docket
C. Dealing with his creditors and continue his Chapter 11 procading;
D. Dealing with persons or organizations tbat have continued to thwart his attempt to
continue his business;
E. Dealing with a with a creditor who is attempting to intimidate him,
F. Dealing with a continued a continued campaign of unknown computer hackers to thwart his
efforts
to continue his business operations; and
G. Resuming certain litigation peading in the U.S. District Court for the Eastern District of
Pennsylvania.
IT IS HEREBY ORDERED that Debtor's request for Hearing is denied because noting
is pending before this Court on which a hearing might be held.
BY THE COURT
________________________________
Richard E. Fehling
United States Bankruptcy Judge

10:30 AM - 11:00 AM

Label/Receipt Number: 0103 8555 7498 0254 7281 Status: Delivered

Your item was delivered at 10:

Label/Receipt Number: 0103 8555 7498 0254 7281


Status: Delivered
Your item was delivered at 10:47 am on March 31, 2006 in KENNETT, MO
63857.
11:30 AM - 12:00 PM

Sheryl Plane Grounded at MDT -- MDT - Harrisburg International Airport

Flight grounded and taken on tarmack to back of airport


12:00 PM - 3:30 PM

Setlaf Detained and Harrassed me -- MDT Airport

I was detained twice by SARAA Police who would not let me wait for Sheryl.
Asked Setlef if she was a Mason.

April 01, 2006


Saturday
10:00 AM - 10:30 AM

Advanced Media Group

Kathy (Crow) drives from NJ to Lancaster -- Schedule to meet at Southern Market

96

9/25/2006 10:14 AM

April 01, 2006 Continued


Saturday
12:00 PM - 12:30 PM

Lance tries to land in LNS - Tower would not let land

2:00 PM - 2:30 PM

Lance Detained at Philadelphia Airport -- Philadelphia Airport

Clinton flew to PIA and pickup up Lance enroute to LNS


4:00 PM - 4:30 PM

Wenall Checks in at Bruswick Hotel -- Downtown Lancaster

5:00 PM - 6:00 PM

Fmr President Clinton to Touchdown at LNS -- LNS

Instructed to meet FPBC at LNS with Lance


8:30 PM - 9:00 PM

Pat Egan Tries To Break into Our Car -- Alley Cat

I rolled down window partway, yelled at Pat as he was walking to car about Arts Motel, he
walked over to our car and put his hand to his ear and kept saying "I can't hear you",
mimiking the HIA Cops earlier that day, then he tried to open my passenger side door with his
other hand, and I sped away.
9:00 PM - 9:30 PM

Wendall perform Marriage to me and Sheryl -- Rt. 30 West Mt. Joy Exit

April 02, 2006


Sunday
2:00 PM - 2:30 PM

Registration Stolen from Dodge Pickup

2:00 PM - 2:30 PM

Sheryl Held hostage at Mo State Police Barracks -- Kennet, Mo

Found madallion from the Masons Guild while 3 or 4 persons impersonated the Mo State
Police. Sheryl left notes on cars.
2:00 PM - 2:30 PM

Someone Enters 220 Stone Hill Road

Ran out of house after someone hiding in basement


4:30 PM - 5:00 PM

2 girls walking

Sat in Wagon Wheel Restaurant saw 2 girls approach from Kendig road at Wagon Wheel
walking together for exercise
Asked them the time as they turned corner to Stone Hill Road said it was 5:30, my watch said
4:30
They said it was daylight savings time, I said it wasnt in todays Newspaper
Drove down to my house turned around and took picture.
They walked to my driveway turned around and went in house across street and called police
2 Conestoga Police cruisers arrived parked on my property and Stone Hill Road
I asked them to get off my property, they would not talk to me, and ordered me to go inside
house while taking statement from 2 girls.

April 03, 2006


Monday
5:00 AM - 5:30 AM

Sheryl on Flight to LNS connecting in Pittsburg -- Craighton, MO

6:00 AM - 6:30 AM

Person breaks into 220 Stone Hill Road

Leave drieway and with pickup go to Wagon Wheel for coffee and newspaper, group of Men
laughing at me. I ask them if anyone of them was in my house, stay out of house until
1:30pm.

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9/25/2006 10:14 AM

April 03, 2006 Continued


Monday
3:30 PM - 4:00 PM

Chlorophorme in car -- Lancaster Airport Parking Lot

4:00 PM - 4:30 PM

Chorophormed released in Car -- Route 501

April 04, 2006


Tuesday
All Day

Must Attend John Couger Show -- Sovereign Center, Reading, PA

Will see sheryl there

12:00 AM - 12:30 AM

Mellon Bank 2nd Order to Dismiss -- Philadelphia, PA


PHILADELPHIA-ATLWTA-CHARLOTrE-CHERRY HILL-CHICAGO-DAUAS-DENVER-HOUSTON-L&S VEGAS-LONDON-LOS
ANGELES--NEW YORK-NEWARK-SAN DIEM-SAN FRANCISCO-SEATTLE--TRENTON-WASHINGTON. DC-WEST
CONSHOHOCKEN-WICHITA-WllMlNGTON

COZEN

O'CONNOR
ATTORNEYS
A PROFESSIONAL CORPOR*TlON

1900 MARKET STREET


PHILADELPHIA. PA 19103-3508
215.665.2000 - 800.523.2900 - 215.665.2013 FAX

April 4,2006
VIA HAND DELIVERY

George M. Gowen III


Direct Phone 215.665.2781
Direct Fax 215.701.2028
ggowen@cozen.com
The Honorable Mary A. McLaughlin
United States District Court for the Eastern
District of Pennsylvania
601 Market Street
Philadelphia, PA 19106
Re: Caterbone v. Lancaster County Prison, et al., 2:05-CV-2288
Dear Judge McLaughlin:
I represent Mellon Bank, N.A. ("Mellon") in the above-referenced case. On February 23,
2006, Mellon filed its Motion to Dismiss (doc. #20) and served Plaintiff by mail. Today, 40
days later, Plaintif has yet to respond to Mellon's motion.
Mellon respectfully requests that, under Local Rule of Civil Procedure 7.1 and Federal
Rule of Civil Procedure 6(e), the Court grant Mellon's motion as uncontested.
Respectfully,
COZEN O'CONNOR
c/ By: George M. Gowen III
GMGIsaw
Advanced Media Group

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9/25/2006 10:14 AM

April 04, 2006 Continued


Tuesday
6:00 AM - 6:30 AM

Sheryl Home in Kennett -- Kennett, MO

8:30 AM - 9:00 AM

Privelege and Mailice Email to All Contacts -- 220 Stone Hill Road

amgroup01@msn.com Printed: Friday, April 28, 2006 8:54 AM


_____
From : Advanced Media Group <amgroup01@msn.com>
Sent : Tuesday, April 4, 2006 12:25 PM
To :
"Bargain Land " <shipping@bargainland.net>, "Daniel Berger "
<danielberger@comcast.net>, "Deddy " <deddy@cityoflancasterpa.com>, "endofauction"
<endofauction@ebay.com>, "GGordon" <GGordon@fult.com>, "High Group"
<nfo@high.net>, "Jimmy " <steaks4all@aol.com>, "Kate Harrison "
<HARRISONKATH@aol.com>, "Lancaster County Commissioners "
<McCueA@co.lancaster.pa.us>, "Lancaster Intell" <IntellLetters@lnpnews.com>, "Lancaster
New Era" <neweraLetters@lnpnews.com>, "Mike Caterbone " <mtciidd@aol.com>, "Owen
Kugel " <owenrkugel@juno.com>, "Patrice Dixon " <HSDuncan@juno.com>, "Patrick Snyder
" <psnyder@uncb.com>, "Pete Horn " <Rhino1818@aol.com>, "Phil "
<caterbone@sbcglobal.net>, "Phyllis Crews " <Phyllis.Crews@richardson.k12.tx.us>, "Ray
Sawiski " <rsawicki@decommunications.com>, "Stan Caterbone "
<amgauctions@comcast.net>, "Steve Caterbone " <flbiscaynesteve@aol.com>, "Sunday
Newspapers" <sunnews@lnpnews.com>
Subject :
Privilege and Malice
_____

Almost all legal systems, including those of the United States, Scotland, and
England and Wales, require in some situations that the subject of the
communication prove, in a civil court, that the defendant made the statement with
"malice", meaning either believing it was false or with "reckless disregard" for
whether it was false. This is known as "qualified privilege"; a typical example is a
complaint of professional misconduct. "Absolute privilege" has the effect that a
statement cannot be sued on as defamatory, even if it was made maliciously; a
typical example is evidence given by a witness on oath (although this may give rise
to different claims, such as an action for malicious prosecution) or statements made
in a session of the legislature.
April 4, 2006 12:25pm
Stan and Sheryl Crow

9:00 PM - 9:30 PM

Southern Regional Police Keep Pounding At Door

Said they just wanted to talk, Fedor and Chief Fiorell


Security took picture. Said I was sick and wanted to help me.

Southern Regional Southern Regional Southern Regional


2 apr 4 2006...
3 apr 4 2006...
apr 4 2006.b...
Advanced Media Group

99

9/25/2006 10:14 AM

April 04, 2006 Continued


Tuesday
10:00 PM - 10:30 PM

Phil Called From Austin Texas -- 220 Stone Hill Road

Said Lance was out of town this week.

record001.mp3 (21
MB)

11:00 PM - 11:30 PM

Fax Southern Regional Police Suit to Don Totaro, Lancaster County District Attorney

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Stanley J. Caterbone
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania

:
:

:
:

Southern Regional Police Department


Chief John A. Fiorill
Officer Buzzer
Officer Fedor
Officer Burger
Southern Regional Police Department
3284 Main Street
Conestoga, PA 17516

CIVIL ACTION

NO.
:

STATE OF PENNSYLVANIA
COUNTY OF LANCASTER

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100

:
:
: ss

9/25/2006 10:14 AM

April 04, 2006 Continued


Tuesday

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

COMPLAINT

1. Libel: On several occasions officers did willfully and knowingly commit


acts of libel by verbally communicating and alleging plaintiff suffers
from mental disorders without merit and with malice with intent to cause
harm to plaintiffs reputation; cause plaintiff stress; cause harm to
business affairs and to obstruct plaintiffs federal civil litigation.
2. Slander: Police Department did slander plaintiff and his business.
3. Harassment: Officers did harass plaintiff at plaintiffs home on several
occasions.
4. Police Brutality: On several occasions officers did physically abuse
plaintiff without just cause and with malice.
5. Undo influence: Police Department is causing plaintiff problems and is
obstructing plaintiffs right to due process regarding his Federal Civil
Action 05-2288 currently in the United States Eastern District Court of
Philadelphia Pennsylvania.
6. False Imprisonment: On April 5, 2006 Officer Buzzer did knowingly and
willing falsely imprison plaintiff and maliciously attack plaintiff and
make false statements to authorities and to Lancaster General
Hospital.

_____________________________
Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184

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9/25/2006 10:14 AM

April 04, 2006 Continued


Tuesday

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

CERTIFICATE OF SERVICE

Stanley J. Caterbone represented by Stanley J. Caterbone


220 Stone Hill Road PRO SE
Conestoga, PA 19516
Schedule F
Addendum to Add Creditors to Schedule
Service To:

Southern Regional Police Department


Chief John A. Fiorill
Officer Buzzer
Officer Fedora
Officer Burger
Southern Regional Police Department
3284 Main Street
Conestoga, PA 17516

Certificates of Service were sent by United States 1st Class Mail on April 15, 2006.
By, ________________________________
Stanley J. Caterbone, Pro Se

Stanley J. Caterbone, Debtor

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9/25/2006 10:14 AM

April 05, 2006


Wednesday
12:00 AM - 12:00 AM

LGH Psychiatric Ward 8 East -- North Duke Street, Lancaster, PA 17602

1:30 PM - 2:00 PM

Civil Action to Enjoin the Obstruction of Justice -- 18 U.S.C. 1514 Email to All Contacts 1737 -- 220

amgroup01@msn.com Printed: Friday, April 28, 2006 9:46 AM


_____
From : Advanced Media Group <amgroup01@msn.com>
Sent : Wednesday, April 5, 2006 1:51 PM
To :
"Bargain Land " <shipping@bargainland.net>, "Daniel Berger "
<danielberger@comcast.net>, "Deddy " <deddy@cityoflancasterpa.com>, "endofauction"
<endofauction@ebay.com>, "GGordon" <GGordon@fult.com>, "High Group"
<nfo@high.net>, "Lancaster County Commissioners " <McCueA@co.lancaster.pa.us>,
"Lancaster Intell" <IntellLetters@lnpnews.com>, "Lancaster New Era"
<neweraLetters@lnpnews.com>, "Mike Caterbone " <mtciidd@aol.com>, "Owen Kugel "
<owenrkugel@juno.com>, "Patrice Dixon " <HSDuncan@juno.com>, "Patrick Snyder "
<psnyder@uncb.com>, "Pete Horn " <Rhino1818@aol.com>, "Phil "
<caterbone@sbcglobal.net>, "Phyllis Crews " <Phyllis.Crews@richardson.k12.tx.us>, "Ray
Sawiski " <rsawicki@decommunications.com>, "Stan Caterbone "
<amgauctions@comcast.net>, "Sunday Newspapers" <sunnews@lnpnews.com>
Subject :
1737 Civil Action to Enjoin the Obstruction of Justice -- 18 U.S.C. 1514
_____

The Victim and Witness Protection Act of 1982 created a Federal civil cause of action
authorizing a United States District Court to restrain the "harassment" of crime victims and
witnesses or to prevent and restrain existing or imminent violations of 18 U.S.C. 1512
(excluding those consisting of misleading conduct) and 1513. This amendment, which is
codified at 18 U.S.C. 1514, defines "harassment" as "a course of conduct directed at a
specific person that causes substantial emotional distress. . .and serves no legitimate
purpose." 18 U.S.C. 1514(c). See United States v. Cofield, 11 F.3d 413, 418, n.6 (4th Cir.
1993), cert. denied, 510 U.S. 1140 (1994); Shepherd v. American Broadcasting Companies,
Inc., 151 F.R.D. 194, 204 (D.C. Cir. 1993), rev'd on other grounds, 62 F.3d 1469 (D.C. Cir.
1995); United States v. Tison, 780 F.2d 1569 (11th Cir. 1986) (it was harassing conduct for a
party to intimidate another into not providing accurate information to Federal law enforcement
officials and to file a civil lawsuit in order to obtain information not discoverable in a pending
criminal proceeding). A government attorney is responsible for bringing such an action.
Shepherd, 151 F.R.D. at 204.
Section 1514 sets out the manner in which an attorney for the government may request an ex
parte request for a temporary restraining order (TRO) to prevent the harassment of a witness
in both criminal and civil matters involving the Federal government. Shepard, 151 F.R.D. 194
at 204. A court may provide two forms of equitable relief: a TRO or a protective order. A TRO
may be sought and may be issued without notice to the adverse party if it is shown that notice
should not be given and that the government has "a reasonable probability" of prevailing on
the merits. The standard of proof for a TRO is described as "reasonable grounds." United
States v. Stewart, 872 F.2d 957, 962 (10th Cir. 1989). The life of a TRO cannot exceed 10
days, unless good cause to prolong the order is shown before its expiration, in which case a
district judge may extend the order for up to 10 days or for a longer period agreed to by the
adverse party. In contrast, a protective order must be preceded by an adversary hearing, and
the standard of proof for the government is "preponderance of the evidence." The life of a
protective order cannot exceed three years, but a second protective order may be sought
during the last 90 days of the first.
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April 05, 2006 Continued


Wednesday
On its face, section 1514 appears to limit the scope of equitable relief permitted since it
makes express provision only for TROs and protective orders "prohibiting harassment of a
victim or witness in a federal criminal case." Since "'harassment' means a course of conduct
directed at a specific person that. . .causes substantial emotional distress in such person," it
could be argued that section 1514 does not comprehend third-party harassment such as the
intimidation of a witness' friend for the purpose of dissuading the witness from testifying at a
trial. Although the statute is ambiguous on this point, it is clear that the statute does not cover
the harassment of jurors and officers of the court.For the legislative history of 18 U.S.C.
1514, see S. Rep. No. 532, 97th Cong., 2d Sess. 27-29, reprinted in 1982 U.S.C.C.A.N. 2515,
2533-35; and 128 Cong.Rec. H8204-05 (daily ed. Sept. 30, 1982).

2:00 PM - 2:30 PM

Officer Buser/Lancaster General Hospital/Millersville Police/East Lampeter Police

Falsley Arrested, taken to LGH on 302; $750 Cash stolen.

6:00 PM - 9:00 PM

Guess who's cooking in the Courtroom kitchen: Guests -- Marion Courtroom, Lancaster

Downtown restaurant to host fundraiser for MHA


BY JUSTIN QUINN, Intelligencer Journal Staff

Don't miss Guest Chef night at Marion Courtroom.


Your stomach and Lancaster County's mental health community will thank you.
The restaurant is hosting a Guest Chef Night from 5 to 10 p.m. Wednesday to raise money
for Mental Health Association. It will donate 25 percent of the price of certain entrees selected
by the guest chefs.
Teaming up to be guest chefs are Mary Steffy, executive director of the Mental Health
Association of Lancaster County; Katherine Kravitz, president of the Mental Health
Association board; Penn Ketchum, executive director of Lancaster County Mental Health and
Mental Retardation; and Douglas Shank, board president of MH/MR.
Ketchum said he's never worked in the restaurant business and anticipates this is as close as
he'll get.
"I've been eating almost my entire life, though," he said. "I'm looking forward to making my
selections."
The menu already includes appetizers such as hot crab dip and peel-and-eat shrimp and
entrees like lasagna and chicken parmesan with roasted vegetables and snap peas.
Steffy said organizers hope to raise $1,000 for Mental Health Association, or MHA, a
nonprofit organization that provides referral services and mental health services for Lancaster
County residents.
"We're trying to develop that second signature event," she said. "Right now our Legislative
Breakfast (which was held Friday morning) is the event most people know about. We also
have a flower sale in May and a pasta buffet and auction in November."
Fundraisers like Guest Chef Night are vital to MHA's annual operating budget, which is
$200,000, Steffy said.
"It helps keep us independent," Steffy said. "We derive about 42 percent of our funding from
United Way, but we are competing with about 50 other agencies for those funds. We're
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April 05, 2006 Continued


Wednesday
always trying to find new ways to raise money."
On June 2, MHA plans to hold a Flavors of Lancaster benefit, which will be held from 6 to 10
p.m. at the Eden Resort & Conference Center, Steffy said.
About 30 restaurants will participate and provide bite-size foods to help the organization meet
its $3,000 goal.
Marion Courtroom owner Mike Geesey said guest chef nights are a phenomenon that started
about 15 years ago.
"A lot of times, charities will come in soliciting us for donations," he said. "We figured, 'Let's
do a guest chef night to help them raise money.' It's worked out real well. Some of them really
make it an event."
One organization combined its guest chef night with a silent auction and a 50/50 raffle,
Geesey said.
"They made almost $10,000," he said. "They didn't make that much from the menu items, but
combined with the other activities, they made out pretty good."
Marion Court Room's guest chefs won't actually be cooking, Wednesday, but they'll be
helping all the same, Geesey said.
"We divide the specials among the crew and cook it for them," Geesey said. "But they help
me keep people calm while they're waiting for their food, which is important. They can
become pretty hectic nights."
Dinner reservations for MHA's Guest Chef Night are highly recommended and can be made
by calling Marion Court Room at 399-1970.
Justin Quinn's e-mail address is jquinn@lnpnews.com.

April 06, 2006


Thursday
All Day

LGH Psychiatric Ward 8 East -- North Duke Street, Lancaster, PA 17602


Please See Above

3:00 PM - 3:30 PM

LGH - Mailed Coninuance Motions to Judge McLaughlin and Judge Fehling -- Lancaster General Hospital

April 07, 2006


Friday
All Day

LGH Psychiatric Ward 8 East -- North Duke Street, Lancaster, PA 17602


Please See Above

9:00 AM - 10:00 AM

Conestoga Speeding Tickets & Inspection Hearing -- 25 E. State Street, Quarryville, PA 17566 786-1246

This court has received your plea of NOT GUILTY to the above summaly
violation(s). The sum of $ 112.50
has been accepted as collateral for your appearance at trial.
Your trial has been scheduled as follows: PLEASE TAKE NOTE WHERE
BEARING WILL BE HELD.
You have the right to be represented by an attorney. You have the
right to have any witnesses present. It is your
responsibility to notify your attorney andlor witnesses of this trial
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April 07, 2006 Continued


Friday
date and time.
Date: 4/07/06
Time: 9:00 AM
Should you fail to appear for your trial, a warrant may be issued for
your arrest.
Place: DISTRICT COURT 02-3-04
25 E. STATE STREET
QWARRMLLE, PA 17566-1246
717-786-7368
Failure to appearior your trial shali constitute consent to triai in
yirur absence and if you are iound guilty, the collateral
deposited shall be forfeited and applied toward the fine and costs.
You shall have the right to appeal within thirty days
for a trial de novo.
If you have any questions, please call the above office

6:00 PM - 7:00 PM

Sheryl at Trump's Taj Mahaj Atlantic City -- Atlantic City, NJ

April 08, 2006


Saturday
All Day

LGH Psychiatric Ward 8 East -- North Duke Street, Lancaster, PA 17602


Please See Above

April 09, 2006


Sunday
All Day

LGH Psychiatric Ward 8 East -- North Duke Street, Lancaster, PA 17602


Please See Above

April 10, 2006


Monday
12:00 AM - 12:00 AM

LGH Psychiatric Ward 8 East -- North Duke Street, Lancaster, PA 17602


Please See Above

9:00 AM - 9:30 AM

Lancaster General Hospital Missing Mail

Civil Action Complaint given to Staff to mail at 1:00am missing, rest of mail shown to me and
was never mailed.
10:00 AM - 10:30 AM

Dr. Pressley 2nd Opinion Dr. Bill

Met with Dr. Bill, would not answer question regarding verifying 302 Order.
1:00 PM - 1:30 PM

Judge Fehling Order For Continuance Denied Again -- 220 Stone Hill Road

UNITED STATES
BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
IN RE:
Stanley J. Caterbone,
Debtor
Chapter 11
NO. 05-23059 - REF
ORDER
AND NOW, this 10 day of April, 2006, upon our consideration of Debtor's Notice for
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April 10, 2006 Continued


Monday
Continuance dated April 6,2006, and filed April 10.2006. which Notice for Continuauce we are
c o wto be a Motion To Stay All Proceedings;
IT IS HEREBY ORDERED that Debtor's Notice for Continuance, construed to be a Motion To
Stay All Proceedings is denied without prejudice because nothing is presently pending before
this Court that would be subject to being stayed.
IT IS FURTHER ORDERED that any further or futurc motion or request to stay proceedings
filed by Debtor shall specify precisely what proceeding or proceedings he is seekmg to stay
and shall set forth in full all grounds for seeking such a stay.
JudgeRichard E. Fehling
United States Bankruptcy Judge

2:00 PM - 2:30 PM

LGH - Visitor for Pat, Case Worker

"Master of the Craft" Asked if Mason


3:30 PM - 4:00 PM

LGH - Dr. Pressley Discharges

April 11, 2006


Tuesday
All Day

Advanced Media Group

Jduge Anita Brody Appeal to Fulton Bank Stay Entered -- Philadelphia, PA

107

9/25/2006 10:14 AM

April 11, 2006 Continued


Tuesday
1:00 PM - 1:30 PM

Judge McLaughlin Order for Continuance to May 11

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
Stanley J. Caterbone

CIVIL ACTION

V.
LANCASTER COUNTY PRISON, ETEL.

NO. 05-2288

ORDER
AND Now on this day 11th of April 2006, upon consideration of the plaintiff's Notice for
Continuance (Doc. No. 22), IT IS HEREBY ORDERED that the case shall be placed in civil
suspense until May 11, 2006

BY THE COURT:
_________________________
MARY A. McLAUGHLIN, J.

ENTERED 12 2006
CLERK OF COURT (Stamp)

1:00 PM - 1:30 PM

Judge McLaughlin Order for Continuance to May 11

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
Stanley J. Caterbone

CIVIL ACTION

V.
LANCASTER COUNTY PRISON, ETEL.

NO. 05-2288

ORDER
AND Now on this day 11th of April 2006, upon consideration of the plaintiff's Notice for
Continuance (Doc. No. 22), IT IS HEREBY ORDERED that the case shall be placed in civil
suspense until May 11, 2006

BY THE COURT:

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April 11, 2006 Continued


Tuesday
_________________________
MARY A. McLAUGHLIN, J.

ENTERED 12 2006
CLERK OF COURT (Stamp)

5:00 PM - 5:30 PM

S Caterbone v. Sothern Regional Police Dept filed and stamped -- Lancaster County Courthouse,50 N.
Duke Street, Lancaster, PA 17602

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Stanley J. Caterbone
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania

:
:

:
:

Southern Regional Police Department


Chief John A. Fiorill
Officer Buzzer
Officer Fedor
Officer Burger
Southern Regional Police Department
3284 Main Street
Conestoga, PA 17516

:
:

STATE OF PENNSYLVANIA

CIVIL ACTION NO.

:
:
: ss

COUNTY OF LANCASTER

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

COMPLAINT

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April 11, 2006 Continued


Tuesday
1. Libel: On several occasions officers did willfully and knowingly commit acts of libel
by verbally communicating and alleging plaintiff suffers from mental disorders without
merit and with malice with intent to cause harm to plaintiffs reputation; cause plaintiff
stress; cause harm to business affairs and to obstruct plaintiffs federal civil litigation.
2. Slander: Police Department did slander plaintiff and his business.
3. Harassment: Officers did harass plaintiff at plaintiffs home on several occasions.
4. Police Brutality: On several occasions officers did physically abuse plaintiff without
just cause and with malice.
5. Undo influence: Police Department is causing plaintiff problems and is obstructing
plaintiffs right to due process regarding his Federal Civil Action 05-2288 currently in
the United States Eastern District Court of Philadelphia Pennsylvania.
6. False Imprisonment: On April 5, 2006 Officer Buzzer did knowingly and willing falsely
imprison plaintiff and maliciously attack plaintiff and make false statements to
authorities and to Lancaster General Hospital.

_____________________________
Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

CERTIFICATE OF SERVICE

Stanley J. Caterbone represented by Stanley J. Caterbone


220 Stone Hill Road PRO SE
Conestoga, PA 19516
Schedule F
Addendum to Add Creditors to Schedule
Service To:
Southern Regional Police Department
Chief John A. Fiorill
Officer Buzzer
Officer Fedora
Advanced Media Group

110

9/25/2006 10:14 AM

April 11, 2006 Continued


Tuesday
Officer Burger
Southern Regional Police Department
3284 Main Street
Conestoga, PA 17516

Certificates of Service were sent by United States 1st Class Mail on April 15, 2006.
By, ________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone, Debtor

April 12, 2006


Wednesday
11:00 AM - 11:30 AM

Start Nextel Phone Service -- Park City Shopping Center, Lancaster, PA

4:00 PM - 4:30 PM

Sent Transcript to Judicial Conduct Review Board -- Harrisburg, PA

COMMONWEALTH OF PENNSYLVANIA
JUDICIAL CONDUCT BOARD
PENNSYLVANIPAL PLACE 301 CHESTNUT STREET SUITE 403.
HARRISBURPG, PA, 17101 717-234-7911

March 27,2006
Stanley Caterbone
220 Stone Hill Road
Conestoga, PA 17516
RE: Judicial Conduct Board Complaint No. 05-256
(Magisterial District Judge Leo H. Eckert, Jr. - Lancaster County)
Dear Mr. Caterbone:
The Board is presently reviewing your complaint.
In your complaint, you state that you secured a court reporter to transcribe the
hearing on your citation for Harassment held on May 10,2005. As your complaint
claims that District Judge Eckert displayed improper demeanor toward you at that time,
the Board is requesting that you provide a copy of the transcript for review.
As you privately arranged for a reporter, the transcript is not a part of the official
district court file. Therefore, the Board cannot obtain it on its own. Since you did not
include a copy with your complaint, I am requesting that you provide it at this time.
Please provide the additional requested information to the Board within
thirty (30) days from the date of this letter.
I remind you the Pennsylvania Constitution provides that all proceedings of the
Board are confidential except when the subject of the investigation waives
confidentiality. Pa. Const. Art. V, 418(a)(8). The Board cannot provide status reports of
its investigation; however, you will be notified of the Board's decision on your complaint
Advanced Media Group

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9/25/2006 10:14 AM

April 12, 2006 Continued


Wednesday
following appropriate review.
Very truly yours,
FJP I1 Deputy Chief Counsel
All Complaints of the Board are not public information and all proceedings relating to a
complaint are confidential and the records of any deliberations shall be confidential.
See Pa Const Article V and 18

April 13, 2006


Thursday
4:00 PM - 4:00 PM

Sheryl left for airport -- Kennett

7:00 PM - 7:30 PM

Sheryl left Kennett in Jeep -- Kennett, MO

April 14, 2006


Friday
11:00 AM - 12:00 PM

34 Foot Admiral Holiday Rambler -- Melot Brothers, Willow Street, PA

Test Drove 30 foot


9:00 PM - 12:00 AM

Bellvedeere Inn -- Queen and James St, Lancaster

Out with Sheryl (Washington D.C.) sheryl gets room and goes out. Someone again accosts
her from her room.
9:00 PM - 11:00 PM

The Sharks Live -- The Village, Lancaster

Walked in and wanted to pay for ticket, said wanted to see Gus and walked into Village.
Dave and Heather, Ken Ray & Carol, Den Lilly, Kratzert, Suzanne Porter,Brett, Fred, Billy T.
Joe Klaus,

April 15, 2006


Saturday
12:00 AM - 2:00 AM

Bellvedeere Inn -- Queen and James St, Lancaster


Please See Above

11:30 PM - 12:00 AM

Marion Courtroom Lancaster City Police Littering Citation apr 15 11-30pm 2006

Citation No. P5612199


Walked to make telephone call under Treasurers Office, security guard grabbed beer out of
hand, I said there is a civil way to do that, give my beer and I will drink it here. Bald about
5'8". Would not give it back, told me to leave, I called police.
Officer told me to leave, and I pulled up beside him in van and wanted to give him my card,
he would not take it and I threw it on the ground.
He cited me with a littering offense.

April 16, 2006


Sunday
12:00 AM - 12:30 AM

George at Village Would not let me back in. -- Village Nightclub, Christian Street,Lancaster, PA

Said about ticket, and he would not let me pay him for the ticket.
Advanced Media Group

112

9/25/2006 10:14 AM

April 16, 2006 Continued


Sunday
2:00 PM - 5:30 PM

Easter at Chesapeake Bay -- Jacksons Marina,Northeast, Maryland

Easter on Beach at Jacksons with hypnotized Sheryl.


Saw Dave and Heather
Went to have a drink at Bar on Dock

April 17, 2006


Monday
5:00 PM - 5:30 PM

Cable Disconnected Paid Comcast at Office -- 1130 N. Duke Street, Lancaster, PA

All Cable disconected at telephone pole.


Sov Bank Project Hope Check #129
Susan Gibson would not turn cable and internet on. Said I had to pay $990.42

Advanced Media Group

113

9/25/2006 10:14 AM

April 17, 2006 Continued


Monday
April 18, 2006
Tuesday
All Day

Comcast Suit Fax to Anita Brody

Re: Civil Action 05-2288


The 5 page fax you sent through eFax.com to 12155802356
was successfully
transmitted at 2006-04-19 00:28:29 (GMT).
The length of transmission was 96 seconds.
The receiving machine's fax ID: .
___________________________________________________________________________
_______________
"for your information"..
Attachments: Comcast Suit, Order of Arpil 10
7:30 AM - 8:00 AM

Gave Dorny Ride to Truck -- Central Manor Road

7:30 AM - 8:00 AM

Millersvile Boro Police Report 872-4657 -- Millersville Boro Police Dept Precint

Patrolman Michael K. Schaeffer, who took report on


MU-00509

gave me incident no. 2006-

Phone 717-872-4657
Fax 717-872-4705
10 Colonial Avenue
Millersville, PA 17551
1:00 PM - 1:30 PM

Comcast Suit -- AMG Office

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Stanley J. Caterbone
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania
V

:
:
:
:

Comcast Cable
4008 N. Dupont Hwy
New Castle, DE 19720
Comcast Cable
Susan Gibson
1113 South Duke Street
Lancaster, PA 17602

STATE OF PENNSYLVANIA
Advanced Media Group

:
:
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9/25/2006 10:14 AM

April 18, 2006 Continued


Tuesday
COUNTY OF LANCASTER

: ss

___________________________________________________________________________
______________________

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

COMPLAINT

Defendant did knowingly and willingly obstruct the plaintiffs fair access to the courts. Plaintiff
extorted $990.46 on April 17, 2006. Plaintiffs current chapter 11-bankruptcy petition protects
the plaintiff from the malicious interruption of services. Such said services were requited for
plaintiff to communicate with the courts, both Federal and State civil courts, and to continue
his due process of the law.
Plaintiff Account Number:

09549 200389-10-4

Plaintiff seeks trial by jury and damages in excess of $7500.00

Dated: April 18, 2006

__________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax

___________________________________________________________________________
_______________________

COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
Advanced Media Group

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9/25/2006 10:14 AM

April 18, 2006 Continued


Tuesday
LANCASTER COUNTY

CERTIFICATE OF SERVICE

Stanley J. Caterbone represented by Stanley J. Caterbone


220 Stone Hill Road PRO SE
Conestoga, PA 19516
Schedule F
Addendum to Add Creditors to Schedule
Service To:
Comcast Cable
4008 N. Dupont Hwy
New Castle, DE 19720
Comcast Cable
Susan Gibson
1113 South Duke Street
Lancaster, PA 17602

Certificates of Service were sent by United States 1st Class Mail on April 22, 2006.
By, ________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax

2:00 PM - 3:00 PM

Lancaster County Assistance Application -- Manor Street, Lancaster, PA

Applied for Food Stamps


5:00 PM - 5:30 PM

Pham Computers -- Lititz Pike

Said could not order Avaratec Power cord, said it might be internal power supply.
9:00 PM - 9:30 PM

Priority Mail Wcrow & Daile High -- Harrisburg Pike

Priority mail transaction No. 72


USPS 414408-9550
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
Advanced Media Group

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9/25/2006 10:14 AM

April 18, 2006 Continued


Tuesday
April 17, 2006
Mr. Dale High
High Industries
1853 William Penn Way
Lancaster, PA 17601
Dear Dale:
How much is that shovel going to be worth? Guess the Convention Center is still a pain in
your backside, and its been almost a year since you said that.
I have another issue. I recently had a problem booking a reservation in your new Marriot.
Nevin directed me to discuss this issue with Beth Reese of the Hotel group. Last week I was
escorted out of the Marriott, while leaving a message for Beth Reese at the front desk.
I was checking my email, by the way, I really like the open business center, and your
management team ordered me off the property. When I would not leave right away, an East
Lampeter Township Policeman escorted me out of the lobby.
I just wanted to alert you of this situation, and wanted to get together to find out if I am or am
not allowed on your property.
Hope to see the ground breaking soon.
Stan J. Caterbone
___________________________________________________________________________
__________________________April 18, 2006
Wendell Crow
308 First St
Kennett, MO 63857-2055
(573) 888-4664
Dear Wendell;

I hope things are settled down for you. I need to know if you ever received the CDRoms that I sent to you, for Sheryl.
Could you please mail everything to Sheryl via priority mail, after you have copied them?
And could you please mail me a copy of the document you prepared?
Sorry for the problems. Please let me know that you sent the items to Sheryl.
Stan
___________________________________________________________________________
___________________________

Advanced Media Group

117

9/25/2006 10:14 AM

April 19, 2006


Wednesday
5:00 PM - 5:30 PM

Pres Bush Email -- 220 Stone Hill Road

From : Advanced Media Group <amgroup01@msn.com>


Sent : Wednesday, April 19, 2006 4:58 AM
To :
<comments@whitehouse.gov>
Subject :
Re Sheryl, we have a problem!
_____

See Federal Civil Action No. 05-2288


Sent February 19, 2005
"To: President George W. Bush
From: Mr. Stan Caterbone <amgroup01@msn.com>
Subject: Write a Supporting Comment on National Security (Iraq)
Dear President Bush:
Dear President Bush:
I need to know if any information contained herein compromises the
security of the United States of America. I have been getting mixed
signals as to this question, and my life has been constantly
threatened because of this document. I would submit to a polygraph
to verify the credibiltiy of any of the facts contained in this
document. I was the sole author of this writing back in 1998.
If you believe that this document does threaten our Nationa Security,
I would like to personally deliver the accompanying information
assets to yourself or the National Security Agency upon request.
If you believe that this document does not compromise the National
Security in any manner, then I would ask that you uphold my civil
liberties in continuing my efforts to adjucate these matters and find
an opportunity for remedy in the appropriate court of law.
I remain,
Stan J. Caterbone
Sincerely,
Stan Caterbone
Address: 220 Stone Hill Road"
Advanced Media Group

118

9/25/2006 10:14 AM

April 19, 2006 Continued


Wednesday

April 20, 2006


Thursday
6:00 PM - 6:30 PM

Confirm shots fired at Bill Houston (wife) for manure -- 175 Valley Road

Arranged for manure for Dorney and Bill Houston's wife verified and confirmed she heard
shot was fired in the morning I heard it and complained to Southern Regional Police and Sgt
Buser.

April 21, 2006


Friday
12:00 PM - 1:00 PM

PP&L Shuts Off Electricity -- 220 Stone Hill Road

Shut off notice posted on garage. Talked to PP&L on the 18th and
they said someone would call me the next day. Talked to PP&L while
at Lenscarfters waiting for 3:00 pm appointment for Contact Lens.
PP&L said they never recieved documents concerning Judge Brody's
reinstatement of my bankruptcy. Told them they were served by
Reading Bankruptcy Court on November 18th. PP&L said it was my
responsibility to get them documentation.
They would not understand
that I do not send out the notices, the Court does. Said she would
have electricty turned back on, the woman kept yelling at me. Still
no electricity as of Sat 10:00 am.

6:00 PM - 8:00 PM

Mike Dipaolo and Dorny at Kegels -- Kegels Seafood Restuarant

Pam and her new boyfriend (Fipps), Bob Long, and the attorney from
Charlie Smithgall.

8:00 PM - 9:00 PM

Anne Baileys Irish Pub -- E King Street, Lancaster, PA

Talked to Keegan, asked him if he was ever in my house without me


there "Stan, you know I haven't seen you for a while..." Keegan that
is not what I asked you. ....Did you ever see Sheryl Crow, Keegan
kept saying yes, and then said on TV.

9:00 PM - 10:00 PM

Alley Kat -- Lemon Street, Lancaster, PA

talked to Mike Dipaolo, Sam Wilson tried telling me that I offended


him in her a few weeks ago, I have not talked to Sam since last
Spring at the Brickyards. He kept getting mad when he could not
convice me that I did something to him. Walked out of Alley Kat
about 12:00 as Lancaster City Police was about to write me a parking
ticket. Was not finished with the car infront of me, and got mad
when I drow away, questionable because most of my casr was infront of
the sign. Decided to go to Lancaster City Police about the Littering
ticket from the weekend before.

April 22, 2006


Saturday
12:00 AM - 1:00 AM

Lancaster City Police Take My Keys -- Lancaster City Police Station, Chestnut Street, Lancaster, PA

Waslked in to get a copy of Littering Citation, (Rick) Desk Officer


began yelling at me and told me that I was driving while drinking,
even though my car was parked. Officer asked for my key after he
followed me out to my car, gave me a parking ticket for parking
Advanced Media Group

119

9/25/2006 10:14 AM

April 22, 2006 Continued


Saturday
infront of the Police sation, and would not let me get out of my car.
I gave him my key and he asked me if I was drinking, 6 drinks since
6:00pm. I requested a breathalyzer, and he said he did not need one
and they would impound my car until the next morning. I walked up to
House of Pizza, got a bottle of water and went back and sat in my car
until 1:00 am and got the spare key and drove home.

6:00 AM - 7:00 AM

Drove to get a paper.

Took a shower at Mom's house to go back to Lancaster City Police


Station for my Key and license.

10:00 AM - 11:00 AM

Lancaster City Police Station -- Chestnut Street

Went in to get license and key and Desk Officer (woman) kept yelling
at me and gave my key back and said I would have to come back tonight
to get my license back.
Told me to get out of station and never to
come back again!

10:30 AM - 11:30 AM

Lancaster County Library -- Duke Street, Lancaster City

Update calender and email.

Tried to lock me out of system.

April 23, 2006


Sunday
1:00 PM - 1:30 PM

Sports Authority Propane Lantern -- Red Rose Commons, Fruitville Pike, Lancaster, PA 17601

1 lantern
3 propane tanks
3 bags
30.42

April 24, 2006


Monday
12:00 AM - 9:00 AM

1250 Fremont Street Overnight

2:30 PM - 3:00 PM

LiHeap Application -- CAP, S. Queen Street, Lancaster,PA

No More walkins, told to come back tommorrow


Lois Gascho on vacation out all week.

April 25, 2006


Tuesday
12:00 AM - 8:00 AM

Overnight 1250 Femont Street

8:00 AM - 9:00 AM

LiHeap Application -- Community Action Program, S. Queen Street, Lancaster

$600 from LiHeap, Bankruptcy papers faxed to PP&L;


Docket
Judge Anita Brody Order of Oct 5
PP&L to turn on Electric on Wed am.

Advanced Media Group

120

9/25/2006 10:14 AM

April 25, 2006 Continued


Tuesday
9:00 AM - 9:30 AM

Reading Court Hearing Parking Meter

10:00 AM - 10:30 AM

Received Ipod from Apple -- DHL Delivery

Received new Ipod, no charge for warranty work; must use 2 for security purposes for
Calender.
1:30 PM - 2:30 PM

Lancaster County Library -- North Duke Street, Lancaster, PA

Got MSN Alert for Reading Parking Ticket Hearing, called District Justice in Reading

2:00 PM - 2:30 PM

FBI Internet Crime Unit -- Online

Reported calender hacked and alert for Reading Parking Ticket and Alert changed.

5:00 PM - 5:30 PM

UPS Store - Fax District Justice Xaovios in Reading -- Lancaster, PA

April 26, 2006


Wednesday
12:00 AM - 5:00 PM

Advanced Media Group

Judge Anita Brody Appeal Due

121

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April 26, 2006 Continued


Wednesday
12:00 AM - 12:30 AM

PP&L Returned Electrical Service -- 220 Stone Hill Road

8:00 AM - 8:30 AM

Freemont Street -- lancaster, PA

Went home

10:00 AM - 10:30 AM

Sheryl Home Depot

10:30 AM - 11:00 AM

Lancaster County Assistance Food Stamps -- Manor Street, Lancaster, PA

17603

Said denied last year because of resources (5,000 in bank, credit


card liability)
Said denied last year becasuse failed to show to interview.
Would not tell me how long to get food stamps

11:30 AM - 12:00 PM

Brimmers Notary -- Harrisburg Pike, Lancaster, PA

Harleysville Insurance Affadavit notarized.

12:00 PM - 12:30 PM

Cyberwarehouse -- Lancaster, PA

Got Averatec Address

12:30 PM - 1:00 PM

Ship Avartec via US Post Office -- Harrisburg Pike

VG 363 174 346 LS

1:30 PM - 2:00 PM

$500 insurance $18.10 Priority Mail

District Majistrate Ballentine -- Locust Street, Lancaster, PA

Comcast Civil Complaint Form

2:00 PM - 2:30 PM

Kennett Police Department -- Kennett, MO

Called 3 or 4 times for Sheryl, Responded on way home.

3:00 PM - 3:30 PM

Letter from Frank McCabe of High Hotels -- Greenfield Industrial Park, Lancaster, PA

Called back 2 or 3 times

5:00 PM - 5:30 PM

Sheryl Paint Store

April 27, 2006


Thursday
2:30 AM - 3:00 AM

Advanced Media Group

District Justice Ballentine Caterbone v. Comcast -- 131 Locust Street, Lancaster, PA

122

17602-3609

9/25/2006 10:14 AM

April 27, 2006 Continued


Thursday
10:30 AM - 11:00 AM

Averatec Laptop to Avaratec for Service -- USPS Harrisburg Pike

Called and got RMA Number.


3:00 PM - 3:30 PM

Sheryl to .....

April 28, 2006


Friday
3:00 AM - 3:30 AM

Amended LGH & Southern Regional Police Department -- Lancaster County Courthouse

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
COUNTY OF LANCASTER
CIVIL DIVISION

Stanley J. Caterbone
Advanced Media Group

CIVIL COMPLAINT CI-06-03349


CIVIL DIVISION

v.

Dr. Emily Pressley, Psychiatric Department


Ward 8 East
Lancaster General Hospital
320 North Duke Street
Lancaster. PA 17602
Lancaster General Hospital
320 North Duke Street
Lancaster. PA 17602
___________________________________________________________________________
______________________

CIVIL COMPLAINT
1.

On April 5th, 2006, Defendants did falsely imprison Defendant at Approximately

3:15 EST at the emergency intake unit of the Lancaster General Hospital, Duke Street,
Lancaster County, Pennsylvania.
2.
Advanced Media Group

Upon request, Agents of the Lancaster General Hospital failed to produce any
123

9/25/2006 10:14 AM

April 28, 2006 Continued


Friday
official documentation to support the apprehension of the Plaintiff or the holding of the
Plaintiff in said facility.
3.

Defendants did open locking cell and plaintiff gain asked for documentation,

plaintiff walked out of the holding cell, and not documentation was produced, agent for
defendant picked plaintiff up and literally threw plaintiff back into holding cell.
4.

Between 3:30pm and 7:15pm Dr. Riley examined plaintiff by asking the following

questions:
a. Do you drink alcohol?
b. Do you take drugs?
c. May I listen to your heart and drugs?
The preceding examination took under 2 minutes and was not near sufficient for
the requirements as outlined in the 302 petition, whether legal or not.
5.

Mental Duress: Agents, employees, and staff of the Lancaster General Hospital

did engage in planned and occasional events to inflict, cause, and provoke extreme
mental duress.
6.

Agents, employees, and staff did obstruct justice and cause plaintiff to suspend,

neglect, and or cease all activities relating to CA 05-0288 and TMT 05-23059 in an overt
Page 1 of 2
___________________________________________________________________________
_________________________
attempt to interfere with Plaintiffs constitutional right to due process.
7. Agents, employees, and or staff did subject Plaintiff to a life threatening environment
when patient William X was intentionally given a ball point pen immediately after Angela
X administered a drug, and William X stood 1 foot away from Plaintiff and held ball point
pen as a knife. Plaintiff had to immediately remove himself from the immediate area.
Agents, employees, and or staff subjected Plaintiff to further harm by condoning and
further provoking situation. As of April l0th, 2006, Plaintiff is still falsely imprisoned.
8. Agents, employees, and or staff did take from Plaintiffs possession a white bank
envelope containing Seven Hundred and Forty-Three dollars ($730.00) which was not
included in Plaintiffs Possession Form.
Plaintiff requests trial by jury and seeks damages in excess of $10,000.00
Advanced Media Group

124

9/25/2006 10:14 AM

April 28, 2006 Continued


Friday

Dated: April l0th, 2006

_________________________________
Stanley J. Caterbone
Stanley J. Caterbone, Pro SE
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
Page 2 of 2

___________________________________________________________________________
___________________________
COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
LANCASTER COUNTY

CERTIFICATE OF SERVICE

Stanley J. Caterbone
Represented by Stanley J. Caterbone, Pro Se
Conestoga, PA 19516
717-431-8184 Phone
717-427-1621 Facsimile
amgroup01@msn.com Email

Service To:
Dr. Pressley, Psychiatrist
Lancaster General Hospital
320 North Duke Street
Lancaster, PA 17603
Dr. Pressley, Psychiatrist
Lancaster General Hospital
320 North Duke Street
Lancaster, PA 17603

Certificates of Service were delivered in person on April 27, 2006.


By, ________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone

Advanced Media Group

125

____________________________________
9/25/2006 10:14 AM

April 28, 2006 Continued


Friday
________________________
EXHIBIT A
___________________________________________________________________________
____________________
EXHIBIT B
___________________________________________________________________________
_____________________
EXHIBIT C
___________________________________________________________________________
__________________________
EXHIBIT D
___________________________________________________________________________
__________________________
EXHIBIT E
___________________________________________________________________________
___________________________
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Stanley J. Caterbone
Advanced Media Group
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania
NO.CI-06-03401

: CIVIL ACTION
:

CIVIL DIVISION

:
:

Southern Regional Police Department


Chief John A. Fiorill
Officer Buzzer
Officer Fedor
Southern Regional Police Department
3284 Main Street
Conestoga, PA 17516
STATE OF PENNSYLVANIA

:
:
: ss

COUNTY OF LANCASTER

Advanced Media Group

:
:

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9/25/2006 10:14 AM

April 28, 2006 Continued


Friday
___________________________________________________________________________
___________________________

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

COMPLAINT

1. Libel: On several occasions officers did willfully and knowingly commit acts of libel
by verbally communicating and alleging plaintiff suffers from mental disorders without
merit and with malice with intent to cause harm to plaintiffs reputation; cause plaintiff
stress; cause harm to business affairs and to obstruct plaintiffs federal civil litigation.
2. Slander: Police Department did slander plaintiff and his business.
3. Harassment: Officers did harass plaintiff at plaintiffs home on several occasions.
4. Police Brutality: On several occasions officers did physically abuse plaintiff without
just cause and with malice.
5. Undo influence: Police Department is causing plaintiff problems and is obstructing
plaintiffs right to due process regarding his Federal Civil Action 05-2288 currently in
the United States Eastern District Court of Philadelphia Pennsylvania.
6. False Imprisonment: On April 5, 2006 Officer Buzzer did knowingly and willing falsely
imprison plaintiff and maliciously attack plaintiff and make false statements to
authorities and to Lancaster General Hospital.
7. Officer Buser was responsible for the envelope with $750.00 cash and therefore
committed a criminal offense of theft by deception.
Plaintiff seeks trial by jury and damages in excess of $10,000.

April 28th, 2006

Dated:

By, ________________________________
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1624
amgroup01@msn.com
Page 1 of 1
___________________________________________________________________________
__________________________
COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
LANCASTER COUNTY

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127

9/25/2006 10:14 AM

April 28, 2006 Continued


Friday
CERTIFICATE OF SERVICE

Stanley J. Caterbone represented by Stanley J. Caterbone


Advanced Media Group
220 Stone Hill Road PRO SE
Conestoga, PA 19516

Service To:
William W. Cambell, Attorney of Record
303 West Fourth Street
Quarryville, PA 17366
717-786-4044 phone
717-786-1524 facsimile
For:

Southern Regional Police Department


Chief John A. Fiorill
Officer Buzzer
Officer Fedora
Southern Regional Police Department
3284 Main Street
Conestoga, PA 17516

Certificates of Service were personally delivered on April 28TH , 2006.


By, ________________________________
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1624
amgroup01@msn.com

11:30 AM - 12:00 PM

Lancaster County Courthouse Amended Lancaser General Hospital Civil Complaint -- 50 North Duke
Street, Lancaster, PA 17601

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
COUNTY OF LANCASTER
CIVIL DIVISION

Stanley J. Caterbone
Advanced Media Group
Advanced Media Group

:
128

CIVIL COMPLAINT
9/25/2006 10:14 AM

April 28, 2006 Continued


Friday
CI-06-03349
CIVIL DIVISION
v.
Dr. Emily Pressley, Psychiatric Department
Ward 8 East
Lancaster General Hospital
320 North Duke Street
Lancaster. PA 17602
Lancaster General Hospital
320 North Duke Street
Lancaster. PA 17602
CIVIL COMPLAINT

1.
On April 5th, 2006, Defendants did falsely imprison Defendant
at Approximately
3:15 EST at the emergency intake unit of the Lancaster General
Hospital, Duke Street,
Lancaster County, Pennsylvania.
2.
Upon request, Agents of the Lancaster General Hospital failed
to produce any
official documentation to support the apprehension of the Plaintiff
or the holding of the
Plaintiff in said facility.
3.
Defendants did open locking cell and plaintiff gain asked for
documentation,
plaintiff walked out of the holding cell,

4:00 PM - 4:30 PM

Service to Lancaster General Hospital -- 131 North Duke St. Lancaster,PA 17602

Emily at information desk, called to corporate, would not give me directions to department,
served 2 copies to LGH and Dr. Pressley
5:00 PM - 5:30 PM

Service to William Cambell of Southern Regional Police -- 131 W Fourth Street, Quarryville, PA

17

Left copy inside door. See pictures.


7:30 PM - 8:00 PM

Barnstormers Opening Game

April 29, 2006


Saturday
All Day

Tommy's Aniversary

Planted our garden.

Advanced Media Group

129

9/25/2006 10:14 AM

May 01, 2006


Monday
8:30 AM - 9:00 AM

Totaro's Office, Lancaster County DA Office -- Lancaster County Courthouse

Requested meeting, told to write letter.


Obstruction of Justice
Southern Regional Police
Shellenberger
9:00 AM - 9:30 AM

Lancaster County Commissioners Office -- Lancaster County Courthouse

Copy of Letter to Henderson, tried to make appointment, staff said will not see me for
meeting.

May 02, 2006


Tuesday
4:00 AM - 4:30 AM

Millersville Boro Police Incident Report -- Manor Avenue Millersville, PA

Now, said cannot have incident report.

April 21, 2006

Advanced Media Group


Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516

Millersville Borough Police Department


Michael K. Schaefer
10 Colonial Avenue
Millersville, PA 17551

Re:Incident Report No. 2006-MV-00509

As per your instructions, I am hereby formally and officially requesting a copy of the
above incident report concerning stolen case for my current litigation with Lancaster
General Hospital (Docket No. CI-06-03401) and Southern Regional Police Department
(Docket No. CI-06-03401) both in the Commonwealth Court of Common Pleas.
Please mail or facsimile to (717) 427-1621.

Respectfully,
Advanced Media Group

130

9/25/2006 10:14 AM

May 02, 2006 Continued


Tuesday

Stanley J. Caterbone, Pro Se


4:30 AM - 5:00 AM

Lance Look alike peddling on near Penn Manor Middle School

12:30 PM - 1:00 PM

USPS Cyclist on River Road

3:00 PM - 3:30 PM

Danny Hershey -- Stehman Road

Talked to Danny for awhile; Gun Shop; told me about DA Detective M. Landis being a
"problem and a lunatic", kept telling me about him, said he lived near Dave on Slackwater
Road, asked if I was having a problem with Dave, and said he was a problem, asked if I
still worked there.
3:30 PM - 4:00 PM

District Judge Leo Eckert Visit -- Stehman Road

Copies of Complaints, Judge Ekert said "I am recusing myself from all complaints, see Judge
Mylin in Quarryville", served me Busser Fleeing Criminal Complaint.
4:00 PM - 5:30 PM

Study PA Civil Procedure Millersville University Student Center -- Millersville University

Notebook missing while in food line, reported missing, found back in van.
5:30 PM - 6:30 PM

Study PA Rules of Procedure Rosa Rosa Restuarant -- Harrisburg Pike, Lancaster

May 03, 2006


Wednesday
10:00 AM - 10:30 AM

Sheryl tried to go Home

11:00 AM - 11:30 AM

Talked to Chief Rochet via phone of Millersville Boro Police requested incident Report

Told me to call Sue Moyer of the Lancaster County DA office, would not give incident report

FAX COVER SHEET


TO
COMPANY
FAX NUMBER
FROM
DATE
RE

COVER MESSAGE
+1-7172953693
Stan Caterbone
5/03/06 9:28 AM
April 5 incident
You are lying Sir, there was a Millersville Boro Police
Cruiser that blocked me and pinned my vehicle against the
front bumper of the Southern Regional Police Cruiser. That
Millersville Boro Police Cruiser pulled diagonally on S.
Duke Street blocking the street. That Millersville Boro
Police Cruiser was white with sirens on the top. It was not
an unmarked car, as you stated to me today on the telephone.
Advanced Media Group

131

9/25/2006 10:14 AM

May 03, 2006 Continued


Wednesday
The Millersville Boro Police Cruiser and the Southern
Regional Police Cruiser pinned my vehicle with thier bumpers
against my bumbers.
The incident report is for the report taken by your Officer
from me at your station for the stolen envelope with
approximately $740.00. It was last in my posession as you
and the other police emptied my pockets and put all of the
contets in the middle of the road on S. Duke Street, which
is in your jurisdiction, not Southern Regional Police
jurisdiction. The entire incident was recorded on my
Digital Audio Recorder, starting when Officer Buser was
chasing me on Kendig Road;
"Will someone put all of this stuff in a bag? I have money
right there.
"I have money right there. In that envelope.
Okay. Yeah, its that envelope. ($743.00) ____________.
Theyre fine. The cops are fine."
I don't know what District Attorney Sue Moyer has to do with
a report of stolen property in your jurisdiction, and I
don't understand why your would put me in harms way by
telling me to go see the Southern Regional Police Department
about the stolen money in your jurisdiction. I will not see
Officer Buser, I am afraid to be in his presence, ever since
the altercations and his physicals threats dating back to
February of 2005.
Sue Moyer
Lancaster County District Attor
www.efax.com

2:00 PM - 2:30 PM

Called Frank McCabe of High Hotels

Would not grant a meeting, faxed my response to him

FAX COVER SHEET


TO
COMPANY
FAX NUMBER
FROM
DATE
RE

COVER MESSAGE
+1-7172934470
Stan Caterbone
5/03/06 1:59 PM
Todays Conversation
Mr. McCabe;
Attached are the 2 documents and correspondence emails that
lead me to the Marriot looking for Ms. Reese. I used the
computers to locate this email because I could not remember
her name. I assume that a meeting with Ms. Reese was a
civil and courteous way to resovle my issues. I did use
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May 03, 2006 Continued


Wednesday
your computer to retrieve my emails, sorry for the
inconvenience and will gladly pay you for that use.
I have tried to contact Ms. Reese on several occassions,
without success. Please remember, it was Nevin that
suggested that I contact her in the first place.
I tried to handle my problem in the most civil and
professional manner possible, however it was you and your
contemporaries that were not civil.
Do you really believe that if everyone tells the same story
that it is the truth, as you just stated?
No wonder the Convention Center ordeal wasted some $8
million and 8 years without progress.
Sir, I question your integrety, your professionalism, and
your competence; and I would meet with you on any given day
to debate that statement.
You are lying about who harrased who, but then again, you
don't care as long as everyone believes the same lie.
Good Day, Sir
cc: Nevin Cooley
Mr. Frank McCabe
High Hotels
www.efax.com

May 04, 2006


Thursday
1:00 AM - 1:30 AM

Email to Michael Landis, Lancaster County Detective -- 50 N. Duke Street, Lancaster, PA

17602

I think it is the judicial branch of government, not the executive; but thanks for the information
anyway. I will handle the problem we discussed today in another manner. As I stated, I will
not put myself in harms way by going near Officer Buser of Southern Regional.
I will find another way to comply with the order and get fingerprinted elsewhere.

Advanced Media Group


Stan Caterbone
mailto: amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Fax: (717) 427-1621
Advanced Media Group
1:30 AM - 2:00 AM

Civil Complaint Pam Pflumm


AOPC 308A-05

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: Lancaster CIVIL COMPLAINT
Magisterial District Number:

02-2-06

MDJ Name: Hon

Leo H. Eckert, Jr.


Address: 841 Stehman Road
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May 04, 2006 Continued


Thursday
Millersville, PA 17551-9753
Telephone: (717)872-4361
PLAINTIFF: NAME and ADDRESS

Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
DEFENDANT: NAME and ADDRESS

Pamela Sue Pflumm


4538 Main Street
Conestoga, PA 17516
Docket No.:
Date Filed:
AMOUNT DATE PAID
FILING COSTS $ / /
POSTAGE $ / /
SERVICE COSTS $ / /
CONSTABLE ED. $ / /
TOTAL $ / /

Pa.R.C.P.D.J. No. 206 sets forth those costs recoverable by the prevailing party.
TO THE DEFENDANT: The above named plaintiff(s) asks judgment against you for $ together
with costs
upon the following claim (Civil fines must include citation of the statute or ordinance violated):

Unsworn falsification of statements to authorities relating to the 302 executed on April 5, 2006
and the following
incarcartion leading to the admission to Lancaster General Hospital.
Defendant did falsley provide a misleading statement to authorities with the intent to
malicously libel plaintiff.
I, Stanley J. Caterbone verify that the facts set forth in this complaint are true and correct to the
best of my knowledge, information, and belief. This statement is made subject to the penalties
of Section 4904 of the Crimes
Code (18 PA. C.S. 4904) related to unsworn falsification to authorities.
Plaintiffs
Attorney: Stanley J. Caterbone, Pro Se Address: 220 Stone Hill Road
Telephone: (717)431-8184 Conestoga, PA 17516

IF YOU INTEND TO ENTER A DEFENSE TO THIS COMPLAINT, YOU SHOULD SO NOTIFY THIS
OFFICE IMMEDIATELY AT THE
ABOVE TELEPHONE NUMBER. YOU MUST APPEAR AT THE HEARING AND PRESENT YOUR
DEFENSE. UNLESS YOU DO,
JUDGMENT MAY BE ENTERED AGAINST YOU BY DEFAULT.

If you have a claim against the plaintiff which is within magisterial district judge jurisdiction
and which you
intend to assert at the hearing, you must file it on a complaint form at this office at least five
(5) days
before the date set for the hearing.

VS.
(Signature of Plaintiff or Authorized Agent)

AOPC 308A-05

If you are disabled and require a reasonable accommodation to gain access to the
Magisterial
District Court and its services, please contact the Magisterial District Court at the
above address
or telephone number. We are unable to provide transportation.

2:00 AM - 2:30 AM

Sgt Buser Criminal Complaint emailed to Totaro for Approval


AOPC 411A-05 1-2

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF:Lancaster
Magisterial District Number:

02-2-06
MDJ Name: Hon

Advanced Media Group

.
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9/25/2006 10:14 AM

May 04, 2006 Continued


Thursday
Leo H. Eckert, Jr.
Address: 541 Stehman Road
Millersville, PA 17551-9753
Telephone: (717)872-4361 Sgt Robert C. Buser
Docket No.:
Date Filed:
OTN:
Southern Regional Police Departmen
P.O. Box 254
Conestoga, PA 17516
Notice: Under Pa.R.Crim.P. 506, your complaint may require approval by the attorney for the
Commonwealth before it can be
accepted by the magisterial district court. If the attorney for the Commonwealth disapproves
your complaint, you may
petition the court of common pleas for review of the decision of the attorney for the
Commonwealth.

Fill in as much information as you have.


Defendants Race/Ethnicity
White Black
Asian Native American
Hispanic Unknown
Defendants Sex
Female
Male
Defendants D.O.B.
Defendants Social Security Number
Defendants SID (State Identification Number)

Badge 401-PA0363500
Defendants A.K.A. (also known as)
Defendants Vehicle Information
Plate Number State Registration Sticker (MM/YY)
Defendants Drivers License Number
State

I, Stanley J. Caterbone
(Name of Complainant-Please Print or Type)

do hereby state: (check appropriate box)


1. I accuse the above named defendant who lives at the address set forth above
I accuse the defendant whose name is unknown to me but who is described as
I accuse the defendant whose name and popular designation or nickname is unknown to me
and whom I have
therefore designated as John Doe
with violating the penal laws of the Commonwealth of Pennsylvania at Conestoga Township
(Place-Political Subdivision)

in Lancaster County on or about April 12, 2006


Participants were: (if there were participants, place their names here, repeating the name of
the above defendant)
Sgt. Robert Buser; Chief of Police Rocert of Millersville Boro;
Officer Eisenhower, West Lampeter Towship
Millersville University Police; Swat Team Officer;

PRIVATE
CRIMINAL COMPLAINT
COMMONWEALTH OF PENNSYLVANIA
VS.
DEFENDANT:
NAME and ADDRESS

(Above to be completed by court personnel) (Fill in defendants name and address)


(Continuation of No. 2)
AOPC 411B-05 2-2

Defendants Name:Sgt. Robert Buser


Docket Number:
2. The acts committed by the accused were:
(Set forth a summary of the facts sufficient to advise the defendant of the nature of the offense charged. A citation to the statute
allegedly violated, without more,
is not sufficient. In a summary case, you must cite the specific section and subsection of the statute or ordinance allegedly violated.)

Plaintiff finished filling his vehicle with gasoline at the Conestoga Wagon Store and went into
the store to
purchase a newspaper and pack of cigarettes. After returning to vehicle and pulling away,
Advanced Media Group

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9/25/2006 10:14 AM

May 04, 2006 Continued


Thursday
plaintiff realized
that the gasoline pump was still in his vehicle, disengaging fuel pump. Plaintiff backed up and
restored the
pump to its proper position while a clerk came out. Plaintiff apolozied to store clerk and told
clerk to tell the
owner, Bill Rankin to call plaintiff if there was any damages. Plaintiff left store and proceeded
north on Main
Street. A Southern Regional Police cruiser passed plaintiff traveling south on Main Street.
Plaintiff
immediately turned around to see if the Conestoga Wagon store had placed a call about
previous incident.
Plaintiff pulled beside the Southern Regional Police cruiser and found the defendant, Sgt.
Buser in the
cruiser. Plaintiff rolled down window and asked "Is there a problem, did the Conestoga
Wagon just call
you?". Defendant said "Stan, I want to talk to you." Plaintiff told defendant that he was busy
and asked if he
was under arrest. Defendant again repeated, "I want to talk to you". Plaintiff again asked
defendant if he had
an arrest warrant, and defendant would not respond. Defendant DID NO
Plaintiff pulled away from Defendant, enroute to the Lancaster County Courthouse to file a
Civil Complaint
against the Southern Regional Police Department, which was completed the evening before
and emailed to
the Lancaster County District Attorney, Donald Totaro.
Defendant followed Plaitiff on Kendig Road with sirens and lights on. Plaitiff immediately
turned on his
Digital Audio Recorder to make notes of incident. (Transcript is available).
Defendant filed a false statement to authorities and filed a Police Prosecution for Fleeing or
Attempting to
Elude Police Officer.
Plaintiff filed the Civil Complaint in the Lancaster County Court of Common Pleas against
Sgt. Buser and the
Southern Regional Police Department on April 11, 2006, the day after Plaintiff was
discharged from the
Psychiatric Unit of the Lancaster General Hospital, after completion of the 5 day rule.
All of which were against the peace and dignity of the Commonwealth of Pennsylvania and
contrary to the Act of
Assembly, or in violation of and
(Section) (Subsection)

of the
(PA Statute)

3. I ask that process be issued and that the defendant be required to answer the charges I
have made.
4. I verify that the facts set forth in this complaint are true and correct to the best of my
knowledge or information and
belief. This verification is made subject to the penalties of Section 4904 of the Crimes Code
(18 Pa.C.S. 4904)
relating to unsworn falsification to authorities.
May 4, 2006
Office of the Attorney for the Commonwealth Approved Disapproved because:
(Name of Attorney for Commonwealth-Please Print or Type) (Signature of Attorney for Commonwealth) (Date)

AND NOW, on this date , I certify that the complaint has been properly completed and
verified.
Signature of Complainant
(Magisterial District) (Issuing Authority)

SEAL
PRIVATE
CRIMINAL COMPLAINT
Date

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136

9/25/2006 10:14 AM

May 04, 2006 Continued


Thursday
3:00 AM - 3:30 AM

Fax to Jan McElworth of Kennett Chamber of Commerce

FAX COVER SHEET


TO
COMPANY
FAX NUMBER
FROM
DATE
RE

COVER MESSAGE
+1-5738889802
Stan Caterbone
5/04/06 4:03 AM
Sheryl Crow Stock Certificate
As per our previous conversation, could you please confirm
the whereabouts of the stock certificate from my company
issued to Sheryl for a donation to Scout's Trail.
Also, could you please provide me with an update of the
progress of the trail project.
Sincerely,
Stan J. Caterbone
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 fax
amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Jan McElwrath
Kennett Chamber of Commerce
www.efax.com

9:00 AM - 9:30 AM

Visit DJ Smith, Harrisburg, PA

Plead not guilty and receive hearing without paying monies.


10:00 AM - 12:30 PM

Visit PA Sentate Building Gib Armstrong

Visit
1:30 PM - 2:00 PM

Visit and Meet Judicial Conduct Review Board Joseph Massa, Chief Counsel -- PA Place, 301 Chestnut
Street, Suite 403, Harrisburg,PA 17101 717-234-7911

Advises to file another complaint for Eckert and Busser, said he


wants to review everything.
Joseph.massa@jcbpa.org

May 07, 2006


Sunday
12:00 AM - 12:30 AM

Lancaster Airport

9:00 PM - 9:30 PM

Sheryl in Nashville

Bar raided.
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9/25/2006 10:14 AM

May 08, 2006


Monday
2:00 AM - 2:30 AM

Lancaster Aiport

9:00 AM - 9:30 AM

Grassel Service

11:00 AM - 11:30 AM

Ric Plum phone callHarleysville Insurance Company

Said he would overnight new affadavit, argued about why no one alerted about defficiencies
4:30 PM - 5:00 PM

Fulton Bank Foreclosure Answer Recorded -- Lancaster County Courthouse

Date stamped 4:54 pm

May 09, 2006


Tuesday
12:00 PM - 1:00 PM

shwartz

rumor, Tim Shwartz threatened my life and Sheryl's

May 10, 2006


Wednesday
9:00 AM - 9:30 AM

Fulton Bank Commercial Loan Application -- Columbia Avenue

Branch Manager refused to provide application or any documentation


9:30 AM - 10:00 AM

Fulton Bank Commercial Loan Application -- Penn Square

Bill Dogherty, Branch Manager on 1st floor; would not provide me with an application.
Process was to provide financial statements; kept requested documentation as to application
and process, refused.
Advised the law of discrimination to all Fulton Bank emplyees.
11:00 AM - 11:30 AM

Ric Plum Harleysville Phone Call

Said did not mail it, would go out today, again lied.

May 11, 2006


Thursday
9:00 PM - 10:00 PM

Episode: Sheryl Crow, Wildflower Tour From New York

Show: Soundstage
Episode: Sheryl Crow, Wildflower Tour From New York
Network: (PBS) Public Broadcasting Service
Date: Thursday - May 11, 2006
Time: 10/9c PM
Duration: 1:00
About: Soundstage: Sheryl Crow, Wildflower Tour From New York
SOUNDSTAGE traveled from their home studios in Chicago, IL to New York City to capture a
special evening of intimate music by nine-time Grammy winner Sheryl Crow. Backed by a 16piece string section led by famed conductor David Campbell, the special provides an
extraordinary look at the many facets of Crow's career and talent.
In this exclusive performance, Crow performs songs from her critically acclaimed 2005
release, Wildflower, including the title cut, "Good is Good," and "Always on Your Side." She
also digs deep into her catalog with a few of the good-time rockers and profound ballads that
have made her one of the most popular mainstream rockers of the last decade, including "If It
Makes You Happy," "All I Wanna Do," and "Every Day is a Winding Road."
Since exploding onto the global pop stage in 1993 with the multi-platinum Tuesday Night
Advanced Media Group

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9/25/2006 10:14 AM

May 11, 2006 Continued


Thursday
Music Club album, the one-time music teacher and studio vocalist has become one of the
most celebrated singer/songwriters in rock n' roll. However, with the release of Wildflower,
Crow took a dramatic new direction with a collection of introspective compositions, heavier on
string arrangements rather than guitar solos. In her second SOUNDSTAGE appearance,
Crow and string arranger Campbell, bring a new approach to viewers, who will see Crow as
they have never seen her before.

May 13, 2006


Saturday
12:00 PM - 12:30 PM

Judge Brody Brief filed -- USPS Harrisburg pike,lancaster,pa

Capt Palmer? Said he was Dick Shellenburgers brother-in-law, wanted to talk to me, kept
backing me up while trying to weigh envelopes, told him to get away, I was busy, walked
outside and waited, told him I was busy, (chlorophorme)
2:00 PM - 2:30 PM

Rick Plum Harleysville Insurance Claim forms arrive

Said all items as separate incidents.

May 15, 2006


Monday
11:30 AM - 12:00 PM

Availablity Staffing

Went to talk to Tony Spinello, would not meet, met with Amber.
Burton D. Schaeffer
Apex Advantage Consultant
2938 Columbia Avenue, Suite 1502
Lancaster, PA, 17 603 Websife: www.availasearch.com
(717)291-1373 / Fax 717-291-1237
Amber J. Barrett
Finance Administration

11:30 AM - 12:00 PM

Availablity Staffing

Went to talk to Tony Spinello, would not meet, met with Amber.

May 16, 2006


Tuesday
5:00 PM - 5:30 PM

Judge Brody Brief Due

May 17, 2006


Wednesday
8:30 AM - 9:00 AM

FBI Harrisburg Office -- 238 Walnut St.,Harrisburg,PA

Obstruction of Justice Complaint


Travel to Washington DC
9:00 AM - 10:00 AM

Help Make LIVESTRONG DAY One to Remember

"It's time for our nation to address our issues. Together, we can
help change things for the better. As a team, we can make a
difference for survivors."
-Lance Armstrong
On Wednesday, May 17, you can help Lance and the LAF be a voice for
change. Thousands of people will take part in LIVESTRONG Day events
Advanced Media Group

139

9/25/2006 10:14 AM

May 17, 2006 Continued


Wednesday
across the country to raise awareness of and bring attention to an
issue that impacts all Americans - cancer.
Whether in your local community or in Washington, D.C., you can
participate and help make LIVESTRONG Day one to remember. There are
three ways to participate:
*
Travel to Washington, D.C. on May 15-17, 2006. Two participants
from each state will be selected to attend LIVESTRONG Day events in
Washington, D.C.
*
Organize a LIVESTRONG Day event in your local community. To
organize a LIVESTRONG Day event, you will organize activities,
contact others in your area and be a point-of-contact for a local
event.
*
Participate in LIVESTRONG

1:30 PM - 2:00 PM

Senate Arlen Specters Office -- 711 Hart Building,Washington D.C.

Schedule appt.
2:00 PM - 2:30 PM

Senate Select Committee on Intelligence -- 211 Hart Building, Washington, D.C.

2 photographers take my picture outside Hearings


Gave phone number to call.
FOXNews.com - Intel Panels Hear From NSA Director - Politics | ...
http://www.foxnews.com/story/0,2933,195868,00.html
1 of 4 5/18/2006 2:19 AM
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FOXNEWS.COM HOME > POLITICS

Intel Panels Hear From NSA Director


Wednesday, May 17, 2006

WASHINGTON House

and Senate Intelligence


Committee panelists
heard Wednesday from
NSA Director Lt. Gen. Keith
B. Alexander on the
National Security
Agency's terrorist
surveillance program.
The sessions gave all
committee members
details that until now had
been told only to certain
members of the
committees and the
chambers' leadership.
The briefings were held the
day before the start of a
confirmation hearing for
President Bush's pick for
the next CIA director, Air
Force Gen. Michael
Hayden. The nominee oversaw the program as NSA chief between
Advanced Media Group

140

9/25/2006 10:14 AM

May 17, 2006 Continued


Wednesday
1999 and 2005.
Alexander met with Senate committee members for about 45
minutes on Wednesday afternoon before the meeting broke up so
senators could go vote on immigration reform amendments. He then
briefed them some more before heading over to meet House
committee members. He returned to wrap up the meeting with
senators in the evening.
Sen. Evan Bayh, D-Ind., said after the first break that senators had
been given "quite a bit of information," but still more needed to be
discussed. "You never know what you don't know," he said of the
possible amount of material that could be disclosed.
(Story continues below)
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2 of 4 5/18/2006 2:19 AM
Sen. Ron Wyden, D-Ore., said his Wednesday session gave "new
meaning to the concept known as a cram course," and he remained
worried that "the country still is not seeing the necessary balance
between fighting terrorism and protecting people's privacy."
White House spokesman Tony Snow said President Bush agreed to
the briefing to oblige Sen. Pat Roberts, R-Kan., the Intelligence
Committee chairman, who "thought it was an uncomfortable
situation in which you would have had seven members fully briefed
on the program as they're getting ready to do confirmation hearings
and eight members not briefed.
"There was a strong sense that everybody needed to be read into
the program to do what they needed, in his opinion, to do to have a
full and appropriate confirmation hearing for General Hayden. And
we agreed with him," Snow said.
The sessions were focusing on programs detailed in recent news
reports that some U.S. phone companies provided customer call
records to the NSA, which set up a database to look for patterns that
Advanced Media Group

141

9/25/2006 10:14 AM

May 17, 2006 Continued


Wednesday
could signal terrorist activity. Last year, leaks also revealed that the
NSA was conducting a terrorist surveilllance program in which it
was listening without warrants to phone calls between individuals in
the United States and abroad who were suspected of having links to
terror groups.
Reports said three of the nation's largest telecommunications firms,
BellSouth, Verizon and AT&T, all cooperated with the government in
handing over phone records for more than 200 million customers
combined.
But two companies BellSouth and Verizon have denied their
involvement in the program. All three companies are being sued for
$200 billion by consumers who say they have had their privacy
invaded. AT&T is also facing a lawsuit alleging that it illegally
cooperated with the NSA by making communications on AT&T
networks available to the spy agency without warrants.
Roberts wouldn't discuss specifics revealed in the news reports but
told FOX News the fact that the stories were published to begin with
is incredible to him, given that the information is highly classified. He
said the amount of leaks presents a real challenge to the U.S.
government's ability to protect the homeland.
"If you inform the American public and then it is broadcast and you
have misinformation about it and those of us who know the
difference can't say anything about it, it's a very troublesome thing.
I'll tell you one thing, (Usama) bin Laden, (Abu Musab al-) Zarqawi
and (Ayman al-) Zawahiri must be rejoicing," Roberts said of the
terror leaders.
Rep. Mike Rogers, R-Mich., a former FBI agent and intelligence
committee member, also would not elaborate on the briefings he
received but said of the phone records reports: "I can assure you
there are no customer records involved. None.
in elected office

Dubya's Double
Bush and Bush get a lot of laughs at
the White House Correspondents'
dinner

Good News, Gloomy Reviews


Economists wonder why Americans
aren't appreciating an economy that is
strong and not nearly ready to flame
out

Refugee Claims
Aid groups say that hundreds of
thousands of people have left their
homes since the Iraq War began
three years ago, leading some to
question the U.S. mission

Southern Border Angst


Arizona's 8th District, where Rep. Jim
Kolbe is retiring and leaving an open
seat, is a sieve for illegals

New Playbook in Pa. Race


In Pennsylvania this November,
Democratic leaders see an
opportunity not only to topple Rick
Santorum, but also to begin writing
their playbook for the 2008
presidential election

Welcome to Fortress City


A $600 million U.S. embassy project
in Baghdad is on time, on budget and
drawing fire from critics, with some
saying it signifies a permanent U.S.
presence in Iraq

ONLY ON FOX
Lower Blood Pressure
The Mayo Clinic and NBC agree its a safe way to Lower Blood Pressure!
www.resperate.com

FOXNews.com - Intel Panels Hear From NSA Director - Politics | ...


http://www.foxnews.com/story/0,2933,195868,00.html
3 of 4 5/18/2006 2:19 AM
"I think it was inaccurately reported and completely overblown about
Advanced Media Group

142

9/25/2006 10:14 AM

May 17, 2006 Continued


Wednesday
what is and what isn't available to the NSA," he said.
A former official familiar with NSA procedures, who spoke on
condition of anonymity, said that since the 1970s the agency has
made sure that when its systems collect information that is not
relevant to foreign intelligence investigations no person can access
it or use it in an inappropriate way.
The official said any information used by the agency would have
been traced back to terror suspects or their associates, not
information about Americans making doctor appointments or
ordering pizzas.
Hayden is expected to be questioned by the Senate Intelligence
Committee about the program from senators during his confirmation
hearing. However, with lawmakers being given classified details of
the programs ahead of that, they will be limited in what they can say
publicly. After the briefings, lawmakers are expected to speak to
reporters about their satisfaction with the details they were given.
Not all members of the intelligence committees had been briefed on
the programs details and other workings of the agency because of
concerns by the White House that information would be leaked from
a larger group. But Democrats said not informing the full
committees violates the 1947 National Security Act.
"The White House, for the first time, is showing signs that they are
serious about oversight of this program," said West Virginia Sen.
Jay Rockefeller, the intelligence committee's top Democrat.
Rep. Jane Harman, D-Calif., Rockefeller's House counterpart, said:
"It's a shame that it took an endangered nomination to make this
happen."
Meetings Declassified
Along with the decision to brief intelligence panel members, Director
of National Intelligence John Negroponte on Wednesday declassified
records of past briefings on NSA activities by administration officials
to members of Congress.
The declassification was requested by House Minority Leader
Nancy Pelosi. Attendance records for the 30 briefings show 95 total
visits among the 31 lawmakers who participated.
Pelosi, D-Calif., was briefed six times four times between
October 2001 and June 2002, and twice in 2004.
One source told FOX News that Pelosi's briefings coincide with the
time during which the NSA was putting together its terrorist
surveillance program. The briefings she attended were on that
program alone and not other NSA programs.
Several officials, however, have said the relevant members of the
intelligence committees and the leadership have been briefed on
"the totality of what the NSA was doing."
"Committee members understand any and everything the NSA is
doing," said one official, adding that the dates show members were
being briefed during the "critical start up months of the program."
FOX News' Jim Angle and Wendell Goler and The Associated Press
contributed to this report.

FOXNews.com - Intel Panels Hear From NSA Director - Politics | ...


http://www.foxnews.com/story/0,2933,195868,00.html
4 of 4 5/18/2006 2:19 AM
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Associated Press. All rights reserved.

Advanced Media Group

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May 17, 2006 Continued


Wednesday
This material may not be published, broadcast, rewritten, or redistributed.
Copyright 2006 FOX News Network, LLC. All rights reserved.
All market data delayed 20 minutes.

3:00 PM - 3:30 PM

Maia Enzer, Program Director, Forest Restoration -- Hart Building, Washington, D.C.

Talked to her about Livestrong and Sheryl, said she was going to see the Livestrong Event
behind the Russell Office Building

May 18, 2006


Thursday
2:00 PM - 2:30 PM

Roda & Nast -- Estelle Drive,Lancaster,PA

Visit and request meeting with receptionist or another attorney

2:00 PM - 2:30 PM

Roda & Nast -- Estelle Drive,Lancaster,PA

Visit and request meeting with receptionist or another attorney


2:30 PM - 3:00 PM

Availabity Staffing -- Columbia Avenue

Follow up with Amber, said she had someone else in office that could help find some parttime
consulting. Talked with . Did not even read resume, told him if he had a client that wanted
to increase profits to call me. Said only dealt with manufacturing, told him had experience,
American Helix
2:30 PM - 3:00 PM

Availabity Staffing -- Columbia Avenue

Follow up with Amber, said she had someone else in office that could
help find some parttime consulting. Talked with . Did not even read
resume, told him if he had a client that wanted to increase profits
to call me. Said only dealt with manufacturing, told him had
experience, American Helix

May 19, 2006


Friday
7:00 PM - 7:30 PM

Joe Pinto Meeting at Lancaster Clipper Stadium -- Lancaster, PA

Joe Pinto Lied


7:00 PM - 7:30 PM

Sheryl - Rainforest Benefit Concert with Sting - Canceled -- New York City

http://www.billboard.com/bbcom/news/article_display.jsp?
vnu_content_id=1002274275
March 29, 2006, 4:05 PM ET
Jonathan Cohen, N.Y.
Sting will be joined by recent duet partner Sheryl Crow and James
Taylor for the 2006 Rainforest Benefit. The event will be held May 19
at New York's Carnegie Hall and will feature additional performers to
be announced. Regular tickets will be available next month from the
Carnegie Hall box office; special packages which include a post-show
dinner can be purchased by calling 212-247-7800.
Sting and Crow's new duet, "Always on Your Side," is No. 14 this week
on Billboard's Adult Top 40 chart and No. 19 on the Adult
Contemporary tally.
Meanwhile, Sting has drafted rock act Fiction Plane (fronted by his
son Joe Sumner) as the support act for all but five dates on his
Advanced Media Group

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9/25/2006 10:14 AM

May 19, 2006 Continued


Friday
summer European tour. As previously reported, the trek will begin
July 4 at the Rock in Rio festival in Lisbon and run through July 28
in Moscow.
Beforehand, Sting will drop by t

10:00 PM - 10:30 PM

Dave Pflumm and Brett Stabley

Thought they stole my wife

May 21, 2006


Sunday
2:30 PM - 3:00 PM

Harleysville Claim Priority Mail -- USPS Harrisburg Pike,Lancaster,PA

2:30 PM - 3:00 PM

Harleysville Claim Priority Mail -- USPS Harrisburg Pike,Lancaster,PA

May 22, 2006


Monday
8:00 AM - 8:30 AM

Payments for Advanced Media Group

Vonage Phone 17.48


Rhapsody 9.99
Go to My PC 24.95
Ebay 15.95
Andale 16.95
Efax 10.00
Nextel 155.00
Lancaster Newspapers 4.95
Lancaster Chamber 175.00

9:00 AM - 9:30 AM

Advance Media v. Mike, Stabley, Pflumm -- Lancaster County Court of Common Pleas

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Advanced Media Group


Stanley J. Caterbone
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania
V

:
:
CIVIL ACTION NO.
:

Mr. David J. Pflumm


Pflumm Contractors
58 North Duke Street
Millersville, PA 17551
717-842-7254
Mr. Brett W. Stabley
Alley Kat Restaurant
30 West Lemon Street
Advanced Media Group

145

9/25/2006 10:14 AM

May 22, 2006 Continued


Monday
Lancaster, PA 17603
717-509-8686
Mike Caterbone
122 Swan Avenue
Plantation, FL 33324
954-423-8010

:
:

STATE OF PENNSYLVANIA

:
:
: ss

COUNTY OF LANCASTER

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

COMPLAINT

1. On several occasions DEFENDANTS did willfully engage in unlawful slander, libel,


and defamation of character of PLAINTIFFS at the establishment of the Alley Kat
Restaurant and Bar, and to other persons at various locations and through various
electronic communication devices, not limited to cellular and land line telephones.
2. DEFENDANTS continue to obstruct justice and interfere with PLAINTIFFS right to
due process concerning Civil Action 05-2288 in the United States District Court for
the Eastern District of Pennsylvania and Plaintiffs petition for Bankruptcy filed in the
United States Bankruptcy Court of Pennsylvania Case No. 05-23059 and
PLAINTIFFS Civil Action No. 06-1538 in United States District Court for the Eastern
District of Pennsylvania.
Plaintiff seeks jury trial and damages in excess of $10,000.

_____________________________
Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184

Advanced Media Group

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9/25/2006 10:14 AM

May 22, 2006 Continued


Monday

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

CERTIFICATE OF SERVICE

Stanley J. Caterbone represented by Stanley J. Caterbone


220 Stone Hill Road PRO SE
Conestoga, PA 19516
Service To:
Mr. David J. Pflumm
Pflumm Contractors
58 North Duke Street
Millersville, PA 17551
717-842-7254
Mr. Brett W. Stabley
Alley Kat Restaurant
30 West Lemon Street
Lancaster, PA 17603
717-509-8686
Mike Caterbone
122 Swan Avenue
Plantation, FL 33324
954-423-8010

Certificates of Service were sent by United States 1st Class Mail on May 23, 2006.
By, ________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone, Debtor
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184

Witness List
Advanced Media Group

147

9/25/2006 10:14 AM

May 22, 2006 Continued


Monday
Sheryl Ann Crow
Yolanda M. Caterbone
James F. Doran
Attillio Grossi
Stephen P. Caterbone
Phillip W. Caterbone

EXHIBIT A

12:00 PM - 12:30 PM

PA Insurance Complaint

Agent is not processing above claim and keeps lying to me. After I
submitted claim forms and did not hear from him, I called him and he
said that a sworn and notorized affadavit required embossed seal from
notary, proved that was not the case. Then he said that he could not
accept a copy of the affadavit and said he needed to resend the claim
form. He did not send the form when he said. Then he said he Chief
Fiorill of the Southern Regional Police Department gave him past
dates of reported thefts, yet he will not forward a copy of any
incident reports from the Southern Regional Police Department. Rick
Plum forwarded claim forms for past reported thefts with this claim
and keeps trying to tell me to file claims for all past dates dating
back to 2002. Today I said that I sent in the required claim forms
for the dates of March 26 and April 12 of 2006 (Priority Mail - US
Post Office Harisburg Pike,Lancaster,PA May 21, self service kiosk),
and he keeps telling me to file claims for pa
Advanced Media Group

148

9/25/2006 10:14 AM

May 22, 2006 Continued


Monday
12:00 PM - 12:30 PM

PA Insurance Complaint

Agent is not processing above claim and keeps lying to me. After I submitted claim forms and
did not hear from him, I called him and he said that a sworn and notorized affadavit required
embossed seal from notary, proved that was not the case. Then he said that he could not accept
a copy of the affadavit and said he needed to resend the claim form. He did not send the form
when he said. Then he said he Chief Fiorill of the Southern Regional Police Department gave
him past dates of reported thefts, yet he will not forward a copy of any incident reports from the
Southern Regional Police Department. Rick Plum forwarded claim forms for past reported
thefts with this claim and keeps trying to tell me to file claims for all past dates dating back to
2002. Today I said that I sent in the required claim forms for the dates of March 26 and April
12 of 2006 (Priority Mail - US Post Office Harisburg Pike,Lancaster,PA May 21, self service
kiosk), and he keeps telling me to file claims for past dates, yet he said he did not recive any
police reports from Southern Regional.
Today I discovered that someone had stolen the file containing all of the forms and copies of the
claims for the dates for the above. I just called 911 to report theft to Southern Regional Police
Department, and no one responded.
5:30 PM - 6:00 PM

Mildred Caterbone -- 1252 Union Street,Lancaster,PA 17603

Told me to collect social security because I was sick.


Told me to sell my house and move to 1250 Fremont Street
Said Uncle Mickey calls them about me, said he is concerned
Told me I cant go against my family, said I should talk bad about my mom.
Told me to get a job, kept trying to explain that I am pro se and I have AMG.
Told them I had to go to food banks, she said good.

May 23, 2006


Tuesday
1:30 PM - 2:00 PM

Email Convention Center Recommendations from March 2005

MSN Hotmail - http://by104fd.bay104.hotmail.msn.com/cgi-bin/getmsg?curmbox=...


1 of 2 5/24/2006 4:32 AM
amgroup01@msn.com Printed: Wednesday, May 24, 2006 4:32 AM
From : Advanced Media Group <amgroup01@msn.com>
Sent : Tuesday, May 23, 2006 1:21 PM
To :
"Bargain Land " <shipping@bargainland.net>, "Daniel Berger " <danielberger@comcast.net>, "Deddy "
<deddy@cityoflancasterpa.com>, "endofauction" <endofauction@ebay.com>, "GGordon"
<GGordon@fult.com>,
"High Group" <nfo@high.net>, "Lancaster County Commissioners " <McCueA@co.lancaster.pa.us>,
"Lancaster Intell"
<IntellLetters@lnpnews.com>, "Lancaster New Era" <neweraLetters@lnpnews.com>, "Mike Caterbone
"
<mtciidd@aol.com>, "Owen Kugel " <owenrkugel@juno.com>, "Patrice Dixon "
<HSDuncan@juno.com>, "Patrick
Snyder " <psnyder@uncb.com>, "Pete Horn " <Rhino1818@aol.com>, "Phil "
<caterbone@sbcglobal.net>, "Phyllis
Crews " <Phyllis.Crews@richardson.k12.tx.us>, "Ray Sawiski " <rsawicki@decommunications.com>,
"Stan Caterbone
" <amgauctions@comcast.net>, "Sunday Newspapers" <sunnews@lnpnews.com>
Subject : Downtown Convention Center March 2005 Recommendations
www.amglobalentertainmentgroup.com
March 16, 2005 Downtown Convention Center Recommendations
Following the Veto by the School District of Tiff Financing
Recommendations
Move the Convention Center & Hotel to the Brunswick Hotel
A Smaller Convention Center WILL Provide As Much Economic Stimulus to the Revitalization of
Downtown Lancaster as a LARGER Convention Center
Advanced Media Group

149

9/25/2006 10:14 AM

May 23, 2006 Continued


Tuesday
Convention Center Could Be Completed In 18 to 24 Months and Should Be Built with Dual Use
Design Plans Arena & Events
Smaller Exhibit Area Coincides With Current Industry Trends
Technology Will NEVER Replace the Need for Human Interaction in the Business and Academic
Arenas Conventions May Become Smaller But Not Obsolete
Far Less Economic, Financial, and Development Risk
Smaller Hotel Would Provide More Overflow To Other County Hotels
Utilize a Mixed-Use Development for the Watt & Shand Building
Feature a Hard Rock Cafe, Entertainment Venues, Shops,
Offices, restaurants, and Condominiums
2 Revitalized Major Downtown Structures for 1/2 the Cost of the Current Convention Center Budget
of $129 million Which Will Probably Grow to Over $150 million
Preliminary Estimate of $60 to $80 Million Dollars For Both Projects
Ability to Fast Track Both Projects Within Shorter Timeline
All Parties And Principals Could Remain the Same or Attract New Investors
Increased Tax Revenues for the School District of Lancaster
Completes The Comprehensive Plan For Major Structures
Returns The Project To The Original Plan Outlined In The 1998 Lancaster Economic Development
Plan For The Revitalization Of Downtown Lancaster
Why This Project Will Be Successful
4 Star or Best Upgrade Available for Hotel Will Make It The Anchor for the Project
No Other Facility In Lancaster County Near This Type of Accommodation
Prices Will Be Reasonable and Acceptable To Corporate Fiscal Policies
The Convention Center Will Only Have To Be A Marginal Success for the Project to Operate profitably
and to succeed in being the catalyst for Downtown Revitalization
Franklin & Marshall (F&M) Will Utilize the Hotel Instead Of Building Their Own Hotel
F&M has the Potential To Fill Approximately 20% Vacancy Per Year or More
There are Major Fortune 500 Companies With Local Overnight Business Activities
There are Several Major Defense & Government Contractors With Local Overnight Business Activities
There are Several Major Institutions of Higher Education With Local Overnight Business Activities
Success of the Lancaster Barnstormers & Clipper Magazine Stadium will Provide Stimulus and is a
Prime Example of How a Major Structure can Effect and Provide the Impetus to Revitalize the
Surrounding Areas
Respectfully,
Advanced Media Group
Stan Caterbone
www.amgglobalentertainmentgroup.com
amgroup01@msn.com
Fax: ( 717)-427-1621
Phone (717)-431-8184
Our Capabilities in Research, Analysis, and Forecasting Have Been Used by U.S. Government
Agencies. These
conclusions were the result of meetings, discussions, and communications with the following
stakeholders: Mayor Charlie
Smithgall, Dale High, Nevin Cooley, Molly Henderson, SDL, Fulton Bank, Marlin Thomas (Willow
Valley), Lancaster City
Council, County Commissioners, Lancaster Newspapers, Tom Baldridge, Rick Grey, 5th Estate,
Talkback Discussion
Board, Howard Sanders, Lancaster Newspapers, April Kopenhaver of LancasrterFirst.org and many
Lancaster city and
county taxpayers.

2:00 PM - 3:00 PM

Appeal Reading Parking Tickets -- Court of Common Pleas, Court St.,Reading, PA

Filed appeal and Forma Papaus to Appeal Reading Traffic Tickets


5:00 PM - 5:30 PM

Convention Over Budget Lancaster New Era -- Lancaster County, PA

Lancaster New Era: Center bids $25M over budget


http://eedition.lancasteronline.com/pages/news/edition/NEPM/200...
1 of 3 5/23/2006 8:19 PM
Center bids $25M over budget
Hotel/convention center construction costs could be 30% higher than expected. Developers call
increase "significant," but say they're still positive. Opponents say it's time to "refocus on new project."
By TOM MURSE, New Era Staff Writer
Advanced Media Group

150

9/25/2006 10:14 AM

May 23, 2006 Continued


Tuesday
The lowest bids for construction of a planned hotel and convention center in Penn Square are more
than $25 million over
budget, double what had been estimated last week. The cost of buying materials such as steel, tile and
wood paneling, and of
hiring the plumbers, electricians and carpenters could be at least $108 million, the master developer
said. That's $25.4 million
more, or nearly 31percent higher, than the $82.6 million budget for such work on the downtown
Lancaster project, according to
figures provided by High Real Estate Group.
The stunning amount of the bids, opened earlier this month, represents perhaps the biggest obstacle to
date for the developers, who have portrayed the project as a catalyst for the city's rebirth. "I think it is
significant," said Tom Smithgall, vice president of
High Real Estate. "But we've had other challenges on this project. We had three and a half years of
legal challenges, pricing challenges, delays, county commissioners who don't want the project -- I'd call
that significant, too." "We're still positive. We're going to get this thing back in shape so we can
proceed as planned," Smithgall said. "I don't think I've ever been involved with a project where
construction bids match up perfectly with your budget. You just have to make adjustments and go from
there."
Those who have raised serious questions about the project, however, see the work bids as further proof
that the price tag -and associated risk to taxpayers -- far outweighs the benefit to Lancaster New Era: Center bids $25M
over budget "I have been watching this project continue to spiral to an exorbitant level," said county
Commissioner Molly Henderson. "I do not see how, at that level, there can be alterations made that
would keep the quality which was promised. "People came into this project with very good intentions for
community service," Henderson said. "But I think the time to redirect is here. I would ask the individuals
involved, privately, and other public officials to join together to refocus on a new project."
Lancaster Mayor Rick Gray would not say whether he believes it is now time to abandon the project
given the apparent high cost
of construction. He said he was disappointed, but not surprised, by the bid amounts. "Just from what
everyone's been saying about the cost of construction and what-not, I assumed they would be over
budget," Gray said. Even if contracts were awarded to the low bidders, the project price tag would jump
to nearly $164.6 million from its current $140 million when costs such as site acquisition and financing
are factored in. Even without the new bids factored in, though, the project has nearly doubled in price
since it
was first proposed, in 1999, at a cost of $75 million. "We're not jumping to any conclusions right now,
but taking a look at it, in the
administration, internally, to determine the effect of the bids on the convention center," Gray said.
"We're willing to wait and let Penn Square Partners see what they can come up with in a few weeks."
Penn Square Partners is the private developer seeking to build a 300-room Marriott Hotel at the site of
the former Watt & Shand building. The Lancaster County Convention Center Authority plans to build a
220,000-square-foot convention center joined to the hotel. This morning, Smithgall said he could not
reveal how, specifically, the developers would seek to reduce construction costs; they were only
beginning to strategize this morning. "I know what people want to do. They want to say, 'What are you
going to change? Are you going to change brick to Dryvit? Are you going to change to electric
baseboard heat?'" Smithgall said. "We're getting ready to start this whole thing this morning." Smithgall
did, however, anticipate questions about whether the quality of the facilities would suffer; his answer is,
they would not. "There are other ways to do things and not lose the quality," he said. "Our critics want
to say they're going to change the quality. Our goal is to deliver what we promised and do it within our
budget."
The bulk of the construction bids were opened at a public meeting held one week ago, but a few others
were unsealed on May 9. Initial reports from last week's meeting stated that bids came in only $13.6
million, or 15 percent, over budget. But those figures did not include contracts already awarded. And
bids on one more contract, for stabilization of the Watt & Shand facade, have yet to be opened; that
will happen on May 31. The bid that came in the most over budget last week was that for the $10.5
million "general trades" contract; Wohlsen Construction of Lancaster was the only bidder, at nearly
$22.3 million -- more than twice the budgeted amount.
The "general trades" contractor would perform carpentry and provide finished materials such as tile and
stone floors and wood paneling, Smithgall said. Asked why the bid came in so high, he said, "There's
only a single bidder, and that could have a lot to do with it. We did not get what we had hoped for,
which was competitive pricing in that bid package." The developers could decide to modify the
Advanced Media Group

151

9/25/2006 10:14 AM

May 23, 2006 Continued


Tuesday
elements of the bid package or seek more bids. In fact, they may decide to seek new bids not just on
the general trades contract, but on several others in which the price far exceeds their budget. There
may be other bids, however, they can do little about. The bids for steel, drywall, glass and concrete
contracts came in far higher, largely because of price fluctuations in the
market."Raw materials have been very volatile," Smithgall said. While the developers analyze the bids,
work continues on demolition of three warehouses behind the Watt & Shand building; stabilization of
the building's facade is expected to begin
shortly after bids are opened for that work on May 31. The developers have continued the demolition
work despite the apparent bid setback, Smithgall said, because it needs to be done regardless of
whether the hotel and convention
center project moves forward. "The preparation of the site has value to a project, even if it's not this
particular project," he
said. "It allows other things to occur if this project does not proceed." In addition, he said, completion of
that work will allow the Historic Preservation Trust of Lancaster County to move forward with its plans
for a Thaddeus Stevens Museum. Penn Square Partners consists of general partner Penn Square
General Corp., a High Associates affiliate, and limited partners Fulton Bank and Lancaster Newspapers
Inc., publisher of the Lancaster New Era, Intelligencer Journal and Sunday News. Detailed look at bids:
A6
2004-2006 Lancaster Newspapers PO Box 1328, Lancaster PA 17608, (717) 291-8811
Terms of Service Privacy Policy

May 24, 2006


Wednesday
12:00 PM - 12:30 PM

Ebay Unfaid Strike Appeal may 24 2006

Advanced Media Group


220 Stone Hill Road
Conestoga, PA 17516
May 24, 2006
EBay, Inc
Bidder Appeal Dept
Fax: 888-379-6251
Item No. #6871438997, NEW Dell Inspiron 9400 E1705 Dual Core Duo 1.66GHz NIB

eBay Unpaid Item Strike Received: #6871438997

amgroup01, you have received an Unpaid Item strike

You were the winning buyer on eBay item #6871438997, NEW Dell Inspiron 9400 E1705 Dual Core Duo 1.66GHz
The seller, neckofturtle has informed eBay that payment for the item has still not been received, or that the two of
were not able to come to agreement. As a result, you have received an Unpaid Item strike.
If you would like additional information regarding the item in question, please review the dispute details page
Advanced Media Group

152

Remember, repeated Unpaid Item strikes may result in your suspension from eBay.

9/25/2006 10:14 AM

May 24, 2006 Continued


Wednesday
As per the above unpaid item strike, I was under the impression that I would not receive a strike from
the seller. I had to file a complaint with the PA Insurance Commission for not receiving my settlement
check in a timely manner. Attached is the documentation.
I would appreciate your efforts to remove the unpaid item strike from the record.
I will await your decision.

Stan J. Caterbone
Amgroup01

www.amgglobalentertainmentgroup.com
amgroup01@msn.com
717.731.8184 Phone
717.427-1621 Fax

May 25, 2006


Thursday
8:30 AM - 9:00 AM

Rescheduled Hearing Caterbone v. Comcast -- DJ Ballentine 123 Locust Street,Lancaster,PA 17602


717-299-7974

CV-0000160-06
Comcast must send notice to defend, otherwise do not attend.
Tried to make me miss this hearing, original taken, I thought it was for June 26, went today to
get copy and said Comcast entered an appearance for defense. Will reschedule hearing.
9:00 AM - 9:30 AM

DJ Thomas Xavios Appeal due for Reading Parking Ticket

May 26, 2006


Friday
8:30 AM - 9:00 AM

Rescheduled Hearing Caterbone v. Comcast -- DJ Ballentine 123 Locust Street,Lancaster,PA 17602


717-299-7974

CV-0000160-06
Comcast must send notice to defend, otherwise do not attend.
Tried to make me miss this hearing, original taken, I thought it was for June 26,
1:00 PM - 1:30 PM

Barley Snyder, LLC - Lancaster General Hospital File Stolen -- East King Street, Lancaster,PA

Gave formal notice to Attorneys Meagen Ford and Mattson regarding LGH file stolen, said
allegations that their client may have been involved, Caroline (african american woman) at
reception desk. Called to executive secretary of both attorneys, were not available, told them
to leave them notice of theft of file.
4:30 PM - 5:00 PM

Advanced Media Group

Judge Mary J. McLaughlin Letter faxed

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May 26, 2006 Continued


Friday
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516

May 26, 2006

United States District Court for the Eastern District of Pennsylvania


Honorable Judge Mary A. McLaughlin
Room # 13614
601 Market Street, Room 2609
Philadelphia, PA 19106-1748
Fax: (215) 597-6390 600
Re:
Civil Action No. 05-2288
Honorable Judge Mary A. McLaughlin:
Attached is evidence of a widespread effort to obstruct justice and deny me fair access and due
process concerning my current pending litigation before your court and other matters before other
courts. I filed a Forma Pauperis in The Court of Common Pleas of Lancaster County relating to
obstruction of justice. The Judge denied my request, without a reason, contrary to rule 240, and the
courts have left me without any access to the courts because I do not have any funds available to file
an appeal.
I am having difficulty conducting my affairs and am seeking the courts to protect my constitutional
rights relating to these matters.
I am unsure of the formal and technical manner to file such a motion and request. Please advise.
Respectfully,

Stan J. Caterbone, Pro Se


Advanced Media Group
Cc:

Honorable Judge Thomas M. Twardowski,


United States Bankruptcy Court, Eastern District of Pennsylvania
400 Washington Street
Reading, PA 19601
Re:
Case No. 05-23059
The Honorable Anita Brody
US District Court For the Eastern District of Pennsylvania
600 Market Street
Room 7613
Philadelphia, PA 19106
Fax 1-215-580-2356
Re:
Case No. CA 06-1538
www.amgglobalentertainmentgroup.com
infor@amgglobalentertainmentgroup.com
717.731.8184 Phone
717.427-1621 Fax

Advanced Media Group

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May 26, 2006 Continued


Friday
6:00 PM - 6:30 PM

Judicial Conduct Review Board Complaint Filed -- USPS, Harrisburg Pike, Lancaster, PA 17603

Please explain your complaint on the reverse of this from.

COMMONWEALTH OF
PENNSYLVANIA
JUDICIAL CONDUCT BOARD
Pennsylvania Place
301 Chestnut Street, Suite 403
Harrisburg, PA 17101
(717)-234-7911
OFFICIAL USE ONLY
Recd:
JCB No:
County:
CONFIDENTIAL REQUEST FOR INVESTIGATION
INSTRUCTIONS: Please type or print. If you wish to provide documents to support your
allegations, please attach copies of those
documents. We cannot return documents. The Boards jurisdiction extends only to
Pennsylvania Supreme Court Justices, Superior
and Commonwealth Court Judges, Common Pleas Court Judges, Philadelphia Municipal and
Traffic Court Judges and Magisterial
District Judges. Once completed, you must sign and return this form to the address above.
NOTICE: The Judicial Conduct Board has no authority to change a Judges decisions or
rulings. Our jurisdiction extends only to
conduct that violates the Code of Judicial Conduct or the Rules Governing Standards of
Conduct of District Justices, which may be
found at our website at www.jcbpa.org.
Your Information:
Name: Stanley J. Caterbone
Address: 220 Stone Hill Road
City: Conestoga State: PA Zip: 17516
Telephone:
( 717 ) 431-8184
()
Judicial Officers Information:
Name: William G. Reuter/Commins
County: Lancaster
Type of Judicial Officer:
Magisterial District Judge
Judge
Case Information: (If misconduct allegations relate to Court Proceedings.) Case Has Been
Appealed
Case Name: Preliminary Hearing Case Docket Number: NT-0000558-05
Your Attorney: Opposing Attorney: Witness:
Name: Pro Se Name: Name:
Address:
Address:
Address:
Phone: Phone: Phone:
I certify that I have read the information concerning the Judicial Conduct Boards
function, jurisdiction, and
procedures included in the accompanying brochure. I further swear (or affirm) that the
above information is
true and accurate. The statements in this complaint are made subject to the penalties
of 18 Pa. C.S. 4904
(relating to unsworn falsification to authorities.)
Date Your Signature
___________________________________________________________________________
Advanced Media Group

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May 26, 2006 Continued


Friday
___________________________
Revised: 08/10/2004
Please use this page to explain your complaint, providing as much detail as possible.
Attach additional pages if needed.
Please note, it is not required that you present your grievance to the Board in person.
Personal interviews are not required and are
not usually necessary for our preliminary review, investigation, and understanding of
grievances. If we need further information
relative to your grievances, you will be contacted by phone or letter and arrangements will be
made for an interview if deemed
necessary.
At the Preliminary Hearing on December 5, 2005 Judge Reuter confered with Officer Ronal
Bezzerd due to the fact that the East
Lampeter Township Police Department failed to provide me with the proper citations before
the start of the Preliminary Hearing.
Judge Reuter had called the Lancaster County District Attorney during the Hearing and
Officer Bezzerd consulted with a District
Attorney about refiling the charges.
I distintcly interupted the Hearing and asked the Judge that I did not think it was fair if the
East Lampeter Township Police
Department could keep these charges pending, without being refiled. Judge Reuter assured
me that this would not be the case and
demanded that Offficer Bezzerd notify me within 24 hours of his decision to refile the charges
or not, which he agreed.
The following is an email that I from Officer Bezzerd at 7:16 pm
amgroup01@msn.com Printed: Wednesday, May 24, 2006 4:09 PM
From : Bezzard, Ron <BezzardR@police.co.lancaster.pa.us>
Sent : Monday, December 5, 2005 7:16 PM
To : <amgroup01@msn.com>
Subject : refiling charges
Mr. Caterbone The DAs officer advised me they would approve refilling the charges. This
should be done within a week, call volume
permitting. Also I dont know haw long it will take to get the court order to file the charges
through the Mt Joy office. At any rate the
charges will be filed as soon as possible.
On May 18, 2006 The East Lampeter Township Police Department refiled the charges and
changed the Affadavit of Probable cause.
On the carges of Count 3 Teft of Services, enclosed you will find a bank debit card
transaction of the bar bill that was paid on the
evening of October 6, 2005 immediately after I was released from the East Lampeter
Township Police Department.

May 27, 2006


Saturday
All Day

sc anniversary

May 29, 2006


Monday
6:00 AM - 6:30 AM

Judicial Conduct Review Board Complaint filed

Please explain your complaint on the reverse of this from.


COMMONWEALTH OF
PENNSYLVANIA
JUDICIAL CONDUCT BOARD
Pennsylvania Place
Advanced Media Group

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May 29, 2006 Continued


Monday
301 Chestnut Street, Suite 403
Harrisburg, PA 17101
(717)-234-7911
OFFICIAL USE ONLY
Recd:
JCB No:
County:
CONFIDENTIAL REQUEST FOR INVESTIGATION
INSTRUCTIONS: Please type or print. If you wish to provide documents to support your
allegations, please attach copies of those
documents. We cannot return documents. The Boards jurisdiction extends only to
Pennsylvania Supreme Court Justices, Superior
and Commonwealth Court Judges, Common Pleas Court Judges, Philadelphia Municipal and
Traffic Court Judges and Magisterial
District Judges. Once completed, you must sign and return this form to the address above.
NOTICE: The Judicial Conduct Board has no authority to change a Judges decisions or
rulings. Our jurisdiction extends only to
conduct that violates the Code of Judicial Conduct or the Rules Governing Standards of
Conduct of District Justices, which may be
found at our website at www.jcbpa.org.
Your Information:
Name: Stanley J. Caterbone
Address: 220 Stone Hill Road
City: Conestoga State: PA Zip: 17516
Telephone:
( 717 ) 431-8184
()
Judicial Officers Information:
Name: Leo H. Eckert,Jr;Stuart J. Mylin;
Maynard A. Harmilton
County: Lancaster
Type of Judicial Officer:
Magisterial District Judge
Judge
Case Information: (If misconduct allegations relate to Court Proceedings.) Case Has Been
Appealed
Case Name: Notice of Continuance;Police Criminal
Complaint;Summons For A Summary Case
Case Docket Number: CR-0000085-06;TR-000101106;TR-0001010-06;TR-0000244-06;TR-000245-06;NT0000220-06
Your Attorney: Opposing Attorney: Witness:
Name: Pro Se Name: Name:
Address:
Address:
Address:
Phone: Phone: Phone:
___________________________________________________________________________
_____________________
Revised: 08/10/2004
I certify that I have read the information concerning the Judicial Conduct Boards
function, jurisdiction, and
procedures included in the accompanying brochure. I further swear (or affirm) that the
above information is
true and accurate. The statements in this complaint are made subject to the penalties
of 18 Pa. C.S. 4904
(relating to unsworn falsification to authorities.)
Advanced Media Group

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May 29, 2006 Continued


Monday
Date Your Signature
Please use this page to explain your complaint, providing as much detail as possible.
Attach additional pages if needed.
Please note, it is not required that you present your grievance to the Board in person.
Personal interviews are not required and are
not usually necessary for our preliminary review, investigation, and understanding of
grievances. If we need further information
relative to your grievances, you will be contacted by phone or letter and arrangements will be
made for an interview if deemed
necessary.
___________________________________________________________________________
__________________
Revised: 08/10/2004
The attached Summary filings will demonstrate a concerted effort among varous Majisterial
District Justices
to obstruct justice and to collectively as an agent to thwart my efforts and deny me my
constitutional right of
due process relating to my current litigation in Federal and State courts. The following is a
copy of a letter to
the Honorable Judge Mary A. McLaughlin, judge of Civil Action No. 05-2288; which is
presently a sealed
filing that I am Plaintiff in The United States District Court for the Eastern District of
Pennsylvania.
"Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
May 26, 2006
United States District Court for the Eastern District of Pennsylvania
Honorable Judge Mary A. McLaughlin
Room # 13614
601 Market Street, Room 2609
Philadelphia, PA 19106-1748
Fax: (215) 597-6390 600
Re: Civil Action No. 05-2288
Honorable Judge Mary A. McLaughlin:
Attached is evidence of a widespread effort to obstruct justice and deny me fair access and
due process
concerning my current pending litigation before your court and other matters before other
courts. I filed a
Forma Pauperis in The Court of Common Pleas of Lancaster County relating to obstruction of
justice. The
Judge denied my request, without a reason, contrary to rule 240, and the courts have left me
without any
access to the courts because I do not have any funds available to file an appeal.
I am having difficulty conducting my affairs and am seeking the courts to protect my
constitutional rights
relating to these matters.
I am unsure of the formal and technical manner to file such a motion and request. Please
advise.
Respectfully,
Stan J. Caterbone, Pro Se
Advanced Media Group
Cc: Honorable Judge Thomas M. Twardowski,
United States Bankruptcy Court, Eastern District of Pennsylvania
400 Washington Street
Reading, PA 19601
Re: Case No. 05-23059
The Honorable Anita Brody
US District Court For the Eastern District of Pennsylvania
Advanced Media Group

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May 29, 2006 Continued


Monday
600 Market Street
Room 7613
Philadelphia, PA 19106
Fax 1-215-580-2356
Re: Case No. CA 06-1538
___________________________________________________________________________
_____________________
Revised: 08/10/2004
The Police Criminal Complaints filed my Officers John A. Fiorill and Sergeant Robert C.
Busser are all
farbrications, and demonstrate one of the greggariouos violations of judicial misconduct one
can imagine.
Enclosed you will find a recorded memo from Arpril 5, 2006 that I recorded during the
altercation and false
imprisonment concerning a fruadulent 302 Order signed by Officer Fedor, all of the Southern
Regional Police
Department.
I have filed Civil Complaints in the Court of Common Pleas, Lancaster County, concerning
the above
infrations; Civil Complaints CI-06-03349 (Caterbone v. Lancaster General Hospital, et el.) and
Civil
Complaint CI-06-03401.
These demonstrations of judicial misconduct are intended to defame my character, my
reputation, and my
trustworthiness while also distracting me and intimidating me into incarcaration that would
prohibit me from
coninuing my current litigation.

5:00 PM - 5:30 PM

Grassel Answer to Civil Complaint Due

5:00 PM - 5:30 PM

Lancaster General Hospital Answer to Complaint Due

May 30, 2006


Tuesday
7:30 AM - 8:00 AM

ISC Timeline of Events of 1991


TIMELINE OF EVENTS
FEB, 1987 MAY, 1987 June, 1987
Mortgage Banking Take Control of Purchase Airplane
Activities Are Started Board of Directors $25,000 Down
Meet With Power Beat Commonwealth FMG 2 Years Ahead of Plan
Station Studios For Bank on $5 Million Mtg. Value Approx. $5 million
Digital Movie Meet with Movie Producers Named Executive Producer
Develop SONY Proposal Of Digital Movie
& PSDMS (Power Station
Digital Movie System)
June 23, 1987 June 25, 1987 June 29, 1987
10:30 Meet with Receive Patent Dave Cook/Bennet
ISC, My Office Research for Williams Deal, Kauffman
Fraud Allegations Digital Movie/FMG Tries to Steal Deal
ISC/Ferranti Kauffman & Company Meet w/Romar Aviation
Reviewing Merger Burglarize My Office To Move Plane From
& Forge Stock Certificates Lancaster Aviation
2:00 pm Have My
Locks Changed To Kauffman Tells Me Via
My Office Telephone of Stock
Certificate by Mistake
4:30 Fly to Phil for
Meetings, Fly to

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May 30, 2006 Continued


Tuesday
Stone Harbor
Lancaster Aviation
Grounds Plane 2
TIMELINE OF EVENTS
July 2, 1987 July 3, 1987 July 4, 1987
Remove All Files Visit With Joe Early In AM Pilot
From My Office Roda, Offers No Calls And Said The
At Night. Help, Suggests Bank Repos Plane
I Get Some Rest In The Middle of The
Kauffman tells client After Hearing My Night With All Files
John Green that Stan Story. On Board/23 days before
st

Is Having Mental 1 Payment/Loose $25,000


Problems. Load Files On Plane
For Stone Harbor. Call Joe Roda, He Told
Me To Quit Fabricating
Drive to Stone Harbor Things.
Romar Aviation Is To
Fly Files To Stone Harbor Hire Pilot
To Fly To Lanc. The Next Mourning. To Get
Files From Plane.
July 5-10 , 1987 July 6th , 1987 July 14, 1987
Meet With Attorneys Commonwealth Bank PSG Revokes Securities
Sends notice of Repo Licenses, No Reason Given.
Try To Salvage Dave 4 days after it was taken.
Cook Deal/Heard I
Am Having Problems. Meet With Tony Bongiovi
in Wildwood re: Digital
Dr. Umiker removes Movie, rumors of insanity
me as Trustee Of Estate. have reached everyone.
TIMELINE OF EVENTS
July 16, 1987 July 14th 1987 July 21st, 1987
Kauffman Sends Contact The Following Travel To Santa Barbara
Letter To All Clients Authorities For Help: CA To Law Firm Of Cappelo
Notifying Them That Fed SEC; NASD, Atlanta & Foley, Who Specializes
I Am No Longer With Bennett Ripole; SEC John In Lender Liability Fraud
FMG, Ltd., And I May Nocella; Cong. Robert With Banks. See Invoice.
Not Handle Investments Walker, Sen Gib Armstrong
At All. Manheim Twp. Police, Etc., Visit With Gamillion Studios
Fred Martin (FBI Harisburg. Of
Hollywood CA To Discuss
Pay Atty Lew Schweller Travel To Sulfolk Library To Restructuring The Debt Of
Of NJ $500 Retainer Fee. Research Lender Liability, The Studio. Meet With
In Boston, MA. Austin Properties For MTG
Banking. Allegations Of
Insanity Had Reached My
Hollywood CA Contacts.
July 22, 1987 July 24th, 1987 August 7, 1987
Dave Cook Decides Not Mike Hartlett Sends Letter Contact Dr. Marshall
To Do The Bennett Williams To All FMG Creditors Stating Levin Of Northfield, NJ
Deal And States That I Have That I Never Had Authority To For Psychiatric Evaluation.
Been Advised By My Make Corporate Commitments Take MMPI Test For $250.00
Attorney Not To Associate On Behalf Of FMG Or Make Any In An Attempt To Subdue The
With You. Financial Decisions On Allegations Of Insanity.
Behalf Of FMG.
3
TIMELINE OF EVENTS
August 11th , 1987 August 14th, 1987 August 28th, 1987
Family Members Abduct Family Members Again In A Desperate Plea For Me & I Am Taken To The Invade My
House In Stone Help, After All
Stone Harbor Police Station Harbor Trying To Get A Authorities Ignored Me,
And Then To The Burdette Confession Of Wrongdoing. Dianne Sawyer, Of
Tomlin Hospital Where A Phone I Travel To Avalon To Try To CBS News 60 Minutes.
Phone Call Was Made Earlier Get A Restraining Order, But See Receipt.
That Day Saying Stan Had I Am Arrested On The Way To
A Gun And Was Going To The Police Station For Speeding.
The Beach To Kill Himself. The Avalon Police Impounded
I Was Released After I Would My Car, And Kept Me In Prison
Sign A Suicide Letter. For 4 Hours.
Receive My Credit Report Receive Letter From FMG Board
From the Lancaster Credit Threatening To File Criminal
Bureau Reporting That Up Until Charges And Refusing To Discuss
July 30, My Credit Report was Any Talks Regarding My Past
Flawless, With All Accounts Affiliation.
Advanced Media Group

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May 30, 2006 Continued


Tuesday
Paid Within 30 Days.
4
TIMELINE OF EVENTS
September 1st, 1987 September 3, 1987 September 3, 1987
I Call A Meeting With I Board At The Cape May I End Up In Jail With
Bob Long and Alan Loss Airport at about 1:30 pm. The Following Charges:
of FMG, Ltd., in Lancaster. To Lancaster. Burglary, Theft,
Unlawful Use Of A
Romar Aviation Owes Me FMG, Ltd., Calls The Manheim Computer, Terroristic
A Flight, So I Schedule A Township Police And Reports Threats, Robbery,
Charter Flight For September That I Had Made A Bomb Threat Criminal Mischief, And
rd

3 , From Cape May To Two Days Earlier, On September Unlawful Restraint.


st

Lancaster 1 . Manheim Township Police


Issue A Warrant For My Arrest For The Conestoga Police
Terroristic Threats, Just Before I Let Me Ride In The
Am Scheduled To Land In Lancaster. Front Seat, The Manheim
Twp. Police Physically
I Borrow A Friends Car To Go To And Mentally Abused Play Basketball. I See One Of My Me.
Secretaries And She Is Crying
Hysterical. Insinuating That I Had Lancaster Nespapers
Committed A Horrendous Crime. Prints Ex-Worker
Charged In Burglary 5
I Politely Ask For The Keys To FMG At Firm and Conestoga
Man Linked To Theft
Later That Night I Went Into My Office
And Removed My Lost Files.
TIMELINE OF EVENTS
th

th

Sept 4 To Sept 9 1987 Sept. 9th To Sept. 15th 1987 Sept. 15th, 1987
Committed To Lancaster Involuntarily Committed To The Attorney Robert Byer
County Prison. Placed In Psychiatric Unit of The St. Joseph Admits That I Am Not
Psychiatric Cell Unit. Hospital. Legally Committed To
Plead For Someone To The Psychiatric Ward.
Post Bail. After Posting
Bail, I Am Coerced Into I Immediately Order
The St. Joseph Hospital For My Discharge And
Psychiatric Ward, As The Walk Out Of The
Only Way I Can Get Out Of Hospital And Go Home.
Jail, By Robert Byer, Atty.
th

Advanced Media Group

September 21st, 1987 September 28th, 1987 September 29 , 1987


Lancaster Newspapers St. Joseph Hospital Investigator Howard
Headlines Reports The Demands Payment Of Eisler Of The PA
ISC/Ferrantti Merger, $3,064.66 For The Seven Securities Commission
Said To Be Worth A Days of Hospitalization Conducts A Five Hour
Billion Dollars. In The Psychiatric Unit. Interview In My Home 6
With Attorney Robert
Beyer, And Client
Bill Johnson. I Discuss
ISC Allegations In
Detail.
TIMELINE OF EVENTS
October 2, 1987 October 5, 1987 October 7, 1987
District Justice Murray Sir Speedy Printing Farmers First Bank
Horton Presides Over duplicates 1103 And Hamilton Bank
Preliminary Hearing For Images Billed To The Refuse To Cash A
All Charges. Transcript Law Firm Of Arnold, Check From FSC
Provides Evidence of Beyer & Homsher Agency, In Atlanta
Perjury By Almost All At The Park City
Witnesses Testimony. Branches.
Several Creditors File
Judgments For Non
Payment.
Parent Federal Bank
(ISC Owned) Proceeds
With Foreclosure Against
My House.
Unemployment Compensation
Review Board Denies Benefits 7
Due To Criminal Wrongdoing.
TIMELINE OF EVENTS
October 10, 1987 November 9, 1987 November 20, 1987
Meeting With Intercon The Pennsylvania Attorney Robert Byer
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Tuesday
Special Services, Which Unemployment Compensation Corresponds Regarding
Specializes In White Review Board Denies Me The Preparation Of
Collar Crime. The Benefits Due To Willful My Defense Against
Meeting Was In New Misconduct When All Charges Pending
York To My Own Property
Law Firm Of Capello
And Fol.ey, Of Santa
Barbara, CA Returns
3 Binders Of Documents
Which I Delivered In
July.
November 25, 1987 November 30, 1987 November 31, 1987
Pennsylvania Securities Attorney Lew Schweller I Submit 9,079
Commission Sends Notice Of New Jersey, Demands Documents For
That Complaint Must Be Payment of $1460 For Processing Into
8
Submitted In Writing In Legal Services In The Diazode Microfiche
Order To Be Considered. Summer. At Good Sheppard
Industries, Reading.
TIMELINE OF EVENTS
December 1, 1987 December 19, 1987 January 8, 1988
I Personally Deliver I File Complaint No. The Pennsylvania
Evidence To Senator 08662 With The U.S. Unemployment
Gib Armstrong and PA Postal Inspector Which Compensation Review
Securities Commission Refereed To The Changing Board Again Denies
Investigator Howard Of My Address By FMG Benefits.
Eisler In Harrisburg. Executives.
January 14, 1988 January 15, 1988 January 26, 1988
Purchase Mobile Home Secretar-Al Transcribes The Pennsylvania
To Travel To California 10 Microcassette Tapes Housing & Financing
To Meet With Attorney To Electronic Format. Agency Denies Sandra Gray, In San Benefits Under The
Diego. Homeowners
9
Emergency Assistance
Program.
TIMELINE OF EVENTS
February 4, 1988 March 14, 1988 March 21, 1988
Lancaster Aviation Files Parent Federal The Lancaster
A Civil Complaint For Bank Files Formal County District
$3,411 Allegedly From Foreclosure Notice Attorneys Office
Repair Work On My For My Home. In Formally Drops
Plane Conestoga All Criminal Charges After $2,000 In Restitution Is Paid.
October 25, 1988 October 30, 1990 October 31, 1990
Mr. Robert Kauffman Congressman Robert Department Of
Purchases 40,000 Walker Reports The Defense Agrees
Shares Of FMG, Ltd.,. Status Of My Complaint To Reopening The
For $60,000 Involving A $2.5 Million Bidding, Which
10
Department of Defense Included Me, Sony,
Contract For The Defense Phillips DuPont, and
Mapping Agency (DMA) To Disc Manufacturing
Digitize And Publish On Inc.,
CD-ROM Medium.
TIMELINE OF EVENTS
October 23, 1990 November 18, 1990 December 12, 1990
The Assistant Secretary The National Institute Travel To Captiva
Of Defense Dave Gribben Of Standards And Island To Program
And Brigadier General Technology, NIST, Approves And Produce The
Kelly, Intervene In Contract An Article Written By Me Information For The
Dispute. And Computer Scientist AMG Legal System
John Garofolo Escaping The CD-ROM, Containing
Unix Tar Pit Printed In DISC All Of My Evidence.
Magazine.
February, 1991 April 16, 1991 May 16, 1991
Mr. Jay Curtis Solicits Me The Audio CD Containing At the Tech Lab
Me To A Joint Venture For The Evidence Is At Commodore
The Department of Mastered and Replicated Computer, In West
Defense. At American Helix. Chester, PA, I
11
PreMaster and Master
Mr. Curtis Became One-Off CD-ROM of
Increasingly Interested AMG Legal Systems.
In The CD-ROM, And
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Tuesday
Began To Interrogate
Me As To What I Was
Going To Do.
TIMELINE OF EVENTS
th

May 23, 1991 May 24, 1991 May 28 , 1991


Mr. Jay Curtis Calls I Travel To Stone The Stone Harbor
And Interrogates Me Harbor, New Jersey Police Pull Me Over
Extensively About The And In A Newspaper, I And Arrest Me For
CIA Activities With ISC Learn Of The CIA And Drinking And Driving,
And Tells Me That The ISC Story. However, I kept Passing
Authorities Have My The Breathalyzer Tests.
Information. I Plant Several CD-ROMs of I Ended Up In Prison,
The AMG Legal Systems In Again, For Nothing.
In Fear For My Life, I Various Strategic Places.
Pack My Bags. There was one attempt
on my life.
That Night On ABC October 12, 1991
News Nightline, Ted
Koppel Featured The I Meet Ted Koppel At
Story About The CIA The Dulles Airport In 12
And ISC. Washington, D.C. And
Ask Him If He Knew Mr.
Allegations Of Insanity Jay Curtis, And Told Him
Have Already Begun. How I Was Interrogated Just
Hours Before The CIA and
ISC Sell Arms To Iraq.
TIMELINE OF EVENTS
November 12, 1997 November 23, 1997 December 2nd , 1997
I E-Mail Lancaster I Write For A Legal I receive via certified
Newspapers About Opinion From Attorney mail return receipt
ISC And My Story. Christina Rainville, And materials & letter from
Attorney Mat Samly, Of Ms. Rainville
stating her
Xekallis, Reese, & Pugh. Firm will not
take any
Mr. Samley promises to new clients from
have a 6 page opinion Lancaster County.
Immediately after the holidays.
13December 22, 1997 December 29th, 1997
December 31st, 1997 I I send letter to Dr. Shulz I Send Letter And Evidence I Deliver Evidence To
describing my need to Ted Kopple of ABC News Chambers Of U.S.
resolve all issues due to Nightline. District Judge Stewart
my inability to bear the Dalzall in Philadelphia
fruits of my labor due to I receive a threat from Jim Courthouse.
The mitigating Christian via telephone who
circumstances. said if you raise these issues again, your life will be much
I also begin to make worst off than it is now, let it be.
a diary of the mental duress He continued to try to threaten me
at Pflumm Contractors, Inc., from raising these issues.
TIMELINE OF EVENTS
th

January 13, 1998 January 14, 1998 January 14 Cont.


In a desperate plead I meet with Fr. Lavelle before I speak one
for intervention with who mysteriously would word tells me Stan
the mental duress at on suggest that I continue you are sick, you are
Pflumm Cont., and the to talk to my therapist not well, you need to
invasion of my privacy and would not call Dave take different medicine
all trying to stop my Pflumm to alleviate the you need help. The last
pursuit of justice I call incidents of mental duress time that I saw Dr. Shulz
Fr. Lavelle at the Office unless Al Shulz would tell in September, I was fine.
Of the Bishop for help him to do so. Someone apparently 14
and advise. A meeting called Dr. Shulz prior to
is set for the next morning Pam Pflumm call me on my arrival. See Tape.
at 9:00 am. My car phone as soon as
I leave the Bishops Office January 15th, 1998
Coincidentally Dr. Al Shulz crying hysterically that I send a certified letter
call me to reschedule my she needs to see me and to Dr. Al Shulz notifying
Quarterly checkup soon after wants to go the Dr. Shulzs him that I am leaving his
following my meeting with office with me. She demands practice.
Fr. Lavelle, in Harrisburg. To go with me to my appointment
but I make her wait in the car. Everyone makes an
Pam Pflumm arrives at my ordeal of my session
house in the evening trying to I sense wrongdoing, and tape with Dr. Shulz as if
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May 30, 2006 Continued


Tuesday
confuse me and annoy me record my session with Dr. I was some lunatic,
before my meetings. Shulz, who is a violation of my right
rivacy.
TIMELINE OF EVENTS
January 16, 1998 February 5, 1998 February 171998
Due to the inflammation In a desperate plead to ACLU responds that
of further mental duress resolve the issues I file they do not have the
st

I take my 1 sick day and a formal complaint to the available resources


take my 2 week vacation PA Chapter of the American to look into my case.
in an effort for a cooling-off Civil Liberties Union (ACLU)
period at Pflumm in Philadelphia, PA. Frank Kent of the ACLU
Contractors, Inc., in order had called me at my
15
to protect my sanity. Office to inform me
that they did not have
See Diary of Mental the resources to
Duress filed with the PA consider my case.
Unemployment Comp. Office. which I had politely
questioned.
th

th

February 17, 1998 February 19 , 1998 February 20 , 1998


Immediately prior to the At 11:30 pm Pam Pflumm Immediately upon
telephone call from the ACLU arrives at my home, and entering my office
I had mailed a personal letter after I request her to leave I confront Dave Pflumm
to Bishop Dittilo of the Dioc. Several occasions, she tries and ask him if my mother
of Harrisburg pleading for to convince me that my mother is dying, He had no
help and intervention is dying - she said Your response.
regarding all matters. mother Is dying, and you
dont even care.
TIMELINE OF EVENTS
th

February 20 , 1998 (Cont) February 22, 1998 February 25, 1998


Extremely distraught and Mr. Keneth Burnette comes I file a claim for
upset I went home at lunch to visit me at my home to discuss Unemployment
and called Mr. Kenneth my note. He said that Pam Compensation on the
never said my mother was dying grounds of quitting due
16
Burnette, Stepfather of but rather that she was sick. He to mental duress caused
Pam Pflumm, and Chaplain at states that my situation is over Mr. David Pflumm and
Lancaster General Hospital his head . I told him that work several key employees,
and asked him to talk to Pam has been like Hell for the past that had begun when
Pflumm. Several months and asked him be began to pursue
to help. He repeated to me, so my claim for justice for
That evening I had dropped work is like Hell?. He said he the issues of the past
a copy of the letter to Bishop would check on me. And I ten years.
Dittilo into his mailbox. Distinctly told him that I will call
him if I wanted to see him.
February 28, 1998 March 17, 1998
Coincidentally, more than Mr. Ken Burnette continued to I am again denied
2 months late, I recieve come to my home on at least 5 Unemployment
a legal opinion from more occasions despite my polite Compensation for the
rd

Mr. Matt Samley of Xekallis, way of saying, dont call me Ill call 3 time in my life.
Reese, and Pugh. Which you.
Was totally without any
legal merit.
TIMELINE OF EVENTS
March 24, 1998 April 13, 1998 April 21, 1998
I file an appeal with the A hearing is held at My appeal for UC 17
Lancaster Job Center for the Lancaster Job Center Benefits is again 18
Unemployment Comp. for UC Benefits with D.D. denied for illigitimate
Benefits. Hukill presiding as Referee reasons including
and myself and Dave Pflumm discrimination for
I reject the offer in attendance. My testimony going to Fr. Lavelle
from her due to is my diary of mental duress. to intervine into the
questionable motives. problems at Pflumm
Contractors.
April 27, 1998
I file another appeal
to the UC Board of Review
for my UC benefits.
TIMELINE OF EVENTS
19 20
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Tuesday
5:00 PM - 5:30 PM

Southern Regional Police Dept Answer To Complaint

Lavery, Faherty, Young & Patterson


Cheryl L. Kovaly, Esquire
225 Market Street, Suite 304
P.O. Box 1245
Hanisburg, PA 17108-1245
(717) 233-6633 (telephone)
(717) 233-7003 (facsimile)
Atty No. PA73693
ckovaly@laverylaw.com
Attys for Defendants
IN THE COURT OF COMMON PLEAS
OF LANCASTER COUNTY. PENNSYLVANIA
STANLEY J. CATERBONE,
ADVANCED MEDIA GROUP,
Plaintiff
SOUTHERN REGIONAL POLICE
DEPARTMENT, CHIEF JOHN A.
FIORILL, OFFICER BUZZER and
OFFICER FEDOR,
Defendants
CIVIL ACTION NO. CI-06-03401
CIVIL DIVISION
DEFENDANTS' PRELIMINARY OBJECTIONS
TO PLAINTIFF'S COMPLAINT
AND NOW, come the Defendants, Southern Regional Police s om mission', Chief John
A.Fiorill, Officer p user;? and Officer Fedor (hereinafter collectively, "Defendants"), by and
through their counsel, Lavery, Faherty, Young & Patterson, P.C., and preliminarily object to
the plaintiffs complaint upon the following averments: ' Incorrectly identified by Plaintiff as the
outhern Regional Police Department. Identified by Plaintiff as Offjcer Buzzer, Busser and/or
Buser.
1. The Plaintiff, proceeding pro se, commenced this action with the filing of a civil
complaint on April 1 I, 2006.
2. An amended complaint was filed on April 28,2006.
3. A review of the Court's docket entries reveals that Plaintiff filed a certificate of
service on May 15,2006, representing that he had effected service of the amended complaint
upon
William W. Campbell, Esquire, and upon the De
4. The amended complaint Plaintiff suffers from mental disorders and physi further avers
that, on April 5, 2006, Defendant Buser made false statements to authorities about plaintiff.
Finally, the amended complaint avers tlmt Defendant Buser was responsible for an envelope
of cash.
5. Based upon the limited foregoing averments of fact, the amended complaint purports to set
forth claims or causes of action for: (1) libel; (2) slander; (3) harassment; (4) police brutality;
(5) undue influence; (6) false imprisonment; and (7) theft by deception. Pa.RCiv.P. 1028(a)(l)
6. Rule 1028(a)(l), Pennsylvania Rules of Civil Procedure, permits the filing of preliminary
objections for lack of personal jurisdiction over the service of a complaint.
7. Plaintiff failed to effectuate valid service of original process of the complaint or the
famended complaint. Therefore, this Honorable Court lacks personal jurisdiction over the I
Defendants. Pa.RCiv.P. 1028(a)(2)
8. Rule 1028(a)(2), Pennsylvania Rules of Civil Procedure, provides for the filing of
preliminary objections for failure of a pleading to conform to law or rule of court.
9. Rule 1019(a), Pennsylvania Rules of Civil Procedure, requires fact pleading.
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10. Plaintiffs amended complaint fails to plead the material facts upon which his causes of
action are purportedly based, and therefore fails to comport with the requirements of Rule
1019(a). P9.R.Civ.P. 1028(a)(3)
11. Rule 1028(a)(3), Pennsylvania Rules of Civil Procedure, provides for the filing of
preliminary objections for insufficient specificity of a pleading.
12. Plaintiffs amended complaint contains only conclusory averments of tortious acts by the
Defendants, and fails to set forth with the requisite factual specificity the facts upon which his
claims are based.
13. The amended complaint is so vague and factually bereft as to preclude the Defendants
from formulating a response to same. Pa.R.Civ.P. 1028(a)(4)
14. Rule 1028(a)(4), Pennsylvania Rules of Civil Procedure, authorizing preliminary
objections for legal insufficiency of a pleading.
15. Count I of Plaintiffs amended complaint fails to state a claim or cause of action for libel
for which relief may be granted as to any Defendant.
16. Count I1 of Plaintiffs amended complaint fails to state a claim or cause of action for
slander for which relief may be granted as to any Defendant.
CERTIFICATE OF SERVICE
I, Blanche A. Morrison, an employee with the law firm of Lavery, Faherty, Young & Patterson,
P.C., do hereby certify that on this 3 ~day~ of M'ay, 2 006, I served a true and correct copy of
the foregoing Preliminary Objections via U.S. First Class mail, postage prepaid, addressed as
follows:
Stanley J. Caterbone
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 175 16
Blanche A . Morrison
Legal Secretary to Cheryl L. Kovaly

7:00 PM - 7:30 PM

Kenny Chesney -- Opening for Chesney will be Sugarland and Jake Owen -- Hershey Stadium

May 31, 2006


Wednesday
12:00 AM - 12:30 AM

Artie email for Convention Center March 2005

Artie, thanks for the intelligent reply and discussion. You should understand, there is
not too much that you have said that I disagree with. You are right on point in your
analysis. However, too understand my perception, you must understand my experience
in analyzing trends and forecasts. In addition, I based my conclusions on the totality of
the
situation. Specifically, how long it would take for another project to be brought to
fruition. When I weighed all of the pertinent factors, I was drawn to those conclusions.
Some history regarding the credibility of my past experiences: In 1984/85 I had a
personal discussion with Sandy Wiell, former President of Citi Group, who has recently
resigned, which was the largest banking entity in the U.S. I was
conveying to him about the future of Financial Planning in the Investment industry, and
the future role it would play. He was closing his deal (American Express) to purchase
IDS (Investors Diversified Services). I was a national leader in the company in
delivering Financial Planning Services, which was very new to the investment
community.
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In 1985/86 I was elected Vice President of the Central Pennsylvania Chapter of the
International Association of Financial Planners, and helped build that chapter by
increasing membership 3to 4 times. I had personally retained the nationally acclaimed
and nationally syndicated Financial Planner, Ms. Alexander Armstrong of Washington
D.C. to speak to an audience of more than 150 professionals at the Eden Resort &
Conference Center to discuss financial planning and how all of the professions needed
to work together for their clients. We attracted professionals from the various
professions including; investments, accounting; legal; and the banking industries.
Today, it has
become evident that financial planning was the way of the future.
In the same time period I also had discussions with Blue Ball Bank executives to set up
Financial Planning for their institution. In 1985 I developed the Easter Regional Free
Agent Camp, the first Free Agent Camp for the Professional Football Market which
was videotaped for distribution. Instead of depending on the Pro scouts to come to the
camp, I video taped the camp and sent a copy of the camps (free to the teams) to all the
teams in all three leagues NFL, CFL and WFL. My brother was signed at that camp by
the Ottawa Roughriders of the CFL, and went on to be a leading receiver while J.C.
Watts was one of the leagues most prominent Quarterback. My brother also played 2
years with the Miami Dolphins and Dan Morino. I was a Certified Agent for the
National Football League Players Association, and had personal conversations and
lunch (in Los Angeles, California) with Gene Upshaw, who was the President of the
NFL Players Union at the time, regarding my camp. The Washington Post wrote a full
page article about my camp and said no one would go on to play professional football
from my camp and try to imply that my camp was a scam. Actually, that was the very
reason for my camp, we had attended too many other camps around the country that
were scams. I had about 60 participants, with one player coming from as far away as
Hawaii. We held the camp at Lancaster Catholic, with a professional production
company filming the entire camp, while I did the editing and produced the video. The
well respected and widely acclaimed professional football scout, Gil Brandt, of the
Dallas Cowboys had given me support for my camp during some conversations I had
with him, he later wrote me a personal note about the camp and said he would evaluate
the video tapes and thought it was a good idea.
In 1986 I had founded Financial Management Group, Ltd.,. In one year, we had 24
people on staff, and had approximately 12 offices in Pennsylvania, and several satellite
offices in other states. We had raised in excess of $50 million in investments to manage
our first year. We had acquired our own Broker Dealer firm and were doing about $3.5
million dollars in gross commission income by the end our first year. We had financial
planners, investment managers, accountants, attorneys, real estate companies, liability
insurance companies, and others all in one office, on the Oregon Pike providing
Financial Planning services In 1987 I was in the midst of making the FIRST Digital
Movie, with one of the leading recording studios in the country, Power Station Studios
& Tony Bongiovi (Power Station
Studios) of New York. Tony developed his cousin Jon BON JOVI, and worked with a
list of Whos Who in the music industry including Bruce Springsteen, Diana Ross,
Cyndi Lauper, Talking Heads, Madonna, The Ramones, Steve Winwood, and on and
on. Tony had produced the orginial Sound Track for Star Wars which was released for
distribution, and was the number one Sound Track release of its time. Tony was also
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active in working with aerospace technologies. I had developed and authored a Joint
Venture Proposal for SONY to partner with us in delivering the Digital Movie and its
related technologies to the marketplace. The venture was to include the
commercialization of technologies which Tony Bongiovi had developed for the
recording industry simultaneously with the release of the Digital Movie. I also created
the idea for the PSDMS which was to be the Trademark logo for
the technology, similar to the DOLBY sound systems trademark. The acronyms stand
for the Power Station Digital Movie System. Today, DVD is the mainstay for
delivering movies on a portable medium.
In 1987 I had a mortgage banking company that was representing a major banking firm
in Houston Texas. I had the capability to finance projects up to $100 million dollars
And HAD MORE COMPETIVE RATES THAN LOCAL INSTITUIONS! I had
secured refinancing packages for Norris Boyd of and the Olde Hickory Hotel for his
property. I had talks with Drew Anton of the Eden Resort, for refinancing a portion of
his debt portfolio. I also had a number of other prominent developers seeking our
competitive funding, including Owen Kugal, High, the Fisher Group (owner of the Rt.
30 Outle ts) and many others around the country from New York to Hollywood.
In 1989 I was one of only 5 or 6 U.S. U.S. companies that had the capability to
manufacture CD-ROM's. We did business with commercial companies, government
agencies and foreign companies. I had worked with the Department of Defense,
NASA, NIST, IBM, Microsoft and others. I also was working with R.R, Donnelly's
Geo Systems, and had arranged for High Industries to sell American Helix to R.R
Donnelly where the executive from Donnellys Chicago headquarters flew to Lancaster
to discuss the deal. I later was developing proposals for Geo Systems to develop
interactive technologies, similar to the WWW. Geo Systems later went on to become
MapQuest, which today is the most widely used mapping software for a host of
technologies,
including the Internet.
In 1990 and 1991 I had worked on developing Voice Recognition systems for the
Governments Technology Think Tank - NIST (National Institute for Standards &
Technology). Today, most all call centers deploy that technology whenever you call an
800 number, and voice recognition is prevalent in all types of technology.
In 1991 I was elected to People to People International and the Citizen Ambassador
Program, which was founded by President Dwight D. Eisenhower in 1956. The
program was founded to To give specialists from throughout the world greater
opportunities to work together and effectively communicate with peers, The Citizen
Ambassador program administers face-to- face scientific, technical, and professional
exchanges throughout the world. In 1961, under President John F. Kennedy, the State
Department established a non-profit private foundation to administer the program. I
was scheduled to tour the Soviet Union and Eastern Europe to discuss printing and
publishing technologies
with scientists and technicians from around the world.
I am illustrating a point with all of these experiences. All of these projects were
outsidethe-box. There were no experts suggesting any of these projects would be
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Wednesday
successful. I relied on my own information and instincts, and was right with all of them,
I was leading the industries that we participated in, not following the experts.
I believe that at this point in time, delaying the development of the Watt & Shand
building has greater risk, than seeing it be built by PSP, assuming they will bear the
financial risk. The baseball stadium is going to have a tremendous positive impact for
the community, and will need a counterpart in Downtown Lancaster. Synergy is the
operative word here. Waiting another 4 or 5 years to develop center city, would be a
disaster in my opinion. Again, I agree with what your research tells you, however, there
are many opportunities that your research will never tell you, and that is what I am
including in my analysis.
I am most certainly not saying that I cant be wrong, however, this is my best
conclusion given all of the information that I have to evaluate. If I was given
misinformation by someone, or was deceived by someone, well then, it is what it is.
I hope you better understand how I derived at my conclusions.
Sincerely,
Stan Caterbone

3:00 AM - 3:30 AM

Robert Walker email

Advanced Media Group


From: Advanced Media Group [amgroup01@msn.com]
Sent: Wednesday, May 31, 2006 3:48 AM
To: 'walker@wexlergroup.com'
Subject: Yesterdays Hearings on FBI & Congressional Office
Attachments: monster resume may 12 2006.pdf; Pages from AMG Legal Systems Prototype
Upgrade to
Windows Oct 29 2005.pdf

Page 1 of 1
5/31/2006
Dear Mr.. Walker;
I just happen to see the end of the broadcast for the Hearings for the recent challenges
regarding the FBI and the
search and seizure issues regarding Congressional offices. Unfortunately, I missed your
testimony.
I am in current litigation in the United States District Court for the Eastern District of
Pennsylvania (CA No. 052288 Sealed), as a matter of fact, you may remember that back in 1990 you intervened in a
dispute with the
Defense Mapping Agency of the Department of Defense on my behalf (see attached).
My current litigation also involves Constitutional issues and I was curious as to the possibility
of you sharing your
testimonial brief views with me? If you so desire, facts surrounding my litigation could be
made available upon
request.
I am also enclosing my resume for future reference in the hopes that you may require my
expertise with regards
to your public relations firm. I often speak of you as the only person in Washington D.C. that
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has ever helped me provide a solution to one of the many challenges of my career, and will
always be grateful for the manner and the results of your efforts.
I look forward to hearing from you.
Respectfully,
Advanced Media Group
Stan Caterbone
www.amgglobalentertainmentgroup.com
amgroup01@msn.com
Fax: 717-427-1621

9:00 AM - 9:30 AM

OMNIS ACCOUNT

amgroup01@msn.com

Printed: Wednesday, May 31, 2006 9:49 AM

_____
From :
<ticket-578980@helpdesk.omnis.com>
Reply-To : ticket-578980@helpdesk.omnis.com
Sent :
Wednesday, May 31, 2006 9:41 AM
To : amgroup01@msn.com
Subject :
[Omnis Network] Support Ticket #578980
_____

Dear Customer:
Hi, this is Eddie from Omnis.com. We host your website
amgglobalentertainmentgroup.com. It seems that the hosting account is
queued for cancellation for non-payment. We are sending you this
notice to let you know that the account will be cancelled soon.
Please let us know if you wish to keep the account or cancel it. You
can give us a call at 1-877-393-4678 or just reply back to this
email.
Thank you,
Eddie
--------------------------------------------------Omnis Network, LLC
Website: http://www.omnis.com
Email: support@omnis.com
Phone Toll Free: 1-877-393-4678
> Original Message:
>Domain name: amgglobalentertainmentgroup.com Service_GID:
20050218163605360442

1:00 PM - 1:30 PM

Fulton Bank Judge Anita Brody Answer Filed

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA

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In the matter of:


STANLEY J. CATERBONE,

CA 06-1538

APPELLEE FULTON BANK'S BRZEF IN OPPOSITION


OF THE APPEAL OF STANLEY J. CATERBONE

Respectfully Submitted by:


BARLEY SNYDER LLC
By: /s/ Shawn M. Long
Shawn M. Long, Esquire
Attorneys for Appellee Fulton Bank
126 East King Street
Lancaster, PA 17602-2893
(717) 299-5201
Court 1.D No. 83774

TABLE OF CONTENTS

Section
Statement of the Basis of Appellate Jurisdiction,
Statement of the Issue Presented and the Applicable Standard of
Appellate Review 3
Statement of the Case 3
Argument 4
Conclusion 5
Cases
In re Duoell, 235 B.R. 783 (Bankr. E.D. Pa. 1999)
In re Skipworth, 69 B.R. 526 (Bankr. E.D. Pa. 1987)
In re Ward, 837 F.2d 124 (3rd Cir. 1988)
Statutes/Other Authority
28 U.S.C. $158(a)(1)
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Federal Rules of Bankruptcy Procedure Rule 8013 5
11 U.S.C. $ 362(d)(l) 5

I. STATEMENT OF THE BASIS OF APPELLATE JURISDICTION ~


This Court has jurisdiction pursuant to 28 U.S.C. fr 158(a)(i).
II. STATEMENT OF THE ISSUE PRESENTED .AND THE APPLICABLE
STANDARD OF APPELLATE REVIEW
A. Issue Presented:
WHETHER THE BANKRUPTCY COURT'S FEBRUARY 23,2006
ORDER GRANTING APPELLEE'S MOTION FOR RELIEF FROM THE
AUTOMATIC STAY SHOULD BE AFFIRMED WHERE APPELLANT
HAS FAILED TO SHOW ANY CLEARLY ERRONEOUS FINDINGS OF
FACT OR WCORRECT CONCLUSIONS OF LAW BY THE
BANKRUPTCY COURT?
Answered in the affirmative by Appellee, Fulton Bank
B. Standard of Review:
a. clearly erroneous findings of fact by the Bankruptcy Court
b. de novo review of conclusions of law
III. STATEMENT OF THE CASE
On or about May 23,2005, Appellant, Stanley J. Caterbone ("Caterbone") filed a pro se
voluntary Chapter 11 bankruptcy petition in the United States Bankruptcy Court for the
Eastern District of Pennsylvania (Reading) to Docket No. 05-23059. Appellee Fulton Bank
(Futlon) is the holder of a second claim against Caterbone in the Bankruptcy Case by virtue
of a Note (the Note) dated January 20,1995 and a Mortgage (the "Mortgage") dated January
20, 1995 on Caterbone's property located at 220 Stone Hill Road, Township of Conestoga,
Lancaster County, Pennsylvania (the "Property"). After Caterbone failed to make post-petition
payments on the Note and Mortgage for the months of June 2005 through January 2006,
Fulton filed its motion for Relief from the Automatic Stay on January 24,2006. On or about
February 2, 2006, Caterbone filed Debtor's
Response to Motion of Fulton Bank for Relief from Stay, and a hearing was held on Fulton's
Motion for Relief from Stay on February 21,2006 before the Honorable Richard E. Fehling. At
the hearing, testimony was given on behalf of Fulton, and Caterbone testified on his own
behalf. Thereafter, on February 23,2006, the Bankruptcy Court issued an Order granting
Fulton's Motion for Relief from the Automatic Stay and providing its basis for granting such
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relief.
On or about March 17,2006, Caterbone filed his Notice of Appeal with respect to the
Banlavptcy Court's February 23,2006 Order (the "Appeal"). The Appeal currently is pending
before this Court. Caterbone, after obtaining from this Court an extension of time through
May 15,2006 to file a Brief in support of his Appeal, filed a document titled "Answer to
Complaint" on May 15,2006. This Brief is submitted in opposition of Caterbone's Appeal.
IV. ARGUMENT
The Bankruptcy Court's February 23,2006 Order granting Appellee's Motion for Relief from
the Automatic Stav should be affirmed because Appellant has failed to show any clearly
erroneous findings of fact or incorrect conclusions of law by the Bankruptcy Court. Neither of
the documents Caterbone has filed in this appeal alleges, let alone establishes, that there
were any clearly erroneous findings of fact or incorrect conclusions of law by the Bankruptcy
Court, nor has Caterbone filed any designation of the issues to be presented on appeal. this
Court's review. As found by the Bankruptcy Court at the February 21,2006 hearing and stated
in its February 23,2006 Order, Fulton established at the hearing that Caterbone made no
post-petition payments on the Mortgage since May of 2005, and Caterbone failed to meet his
burden of showing that Fulton's interests in the Property were adequately protected. These
findings of fact may not be set aside on appeal unless clearly erroneous. See Federal Rules
of Bankruptcy Procedure Rule 8013. The Bankruptcy Court's conclusions of law set forth in
the February 23,2006 Order are equally clear and concise and are fully supported by
bankruptcy law. Fulton, which had the initial burden to demonstrate that "cause" existed for
the Bankruptcy Court to grant relief, did so by establishing that Caterbone defaulted in
making post-petition mortgage payments. February 23,2006 Order (citing In re Duoell, 235
B.R. 783,788 (Bankr. E.D. Pa. 1999); m, 837 F.2d 124, 128 (3rd Cir. 1988); In re Skipworth,
69 B.R. 526,527-28 (Bankr. E.D. Pa. 1987)). Then, the burden shifted to Caterbone to
establish the absence of "cause", which Caterbone may have done by showing that Fulton
was adequately protected. Id. (citing m, 235 B.R. at 789; Skipworth, 69 B.R. at 527-28). Once
Fulton met its initial burden by demonstrating "cause" by virtue of Caterbone's failure to make
past-petition mortgage payments, the ultimate burden of proof on tlie issue of adequate
protection under 11 U.S.C. $362(d)(1) was on Caterbone. Id. (citing Skipworth, 69 B.R. at
528). Since Caterbone failed to meet his burden of establishing the absence of "cause",
having introduced no evidence whatsoever of adequate protection, the Bankruptcy Court
correctly found that Fulton was entitled to an order granting its Motion for Relief from the
Automatic Stay with respect to the Property.
CONCLUSION
Based on the foregoing, Appellee, Fulton Bank, respectfully requests that this Court affirm the
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Bankruptcy Court's February 23,2006 Order granting Fulton Bank's Motion for Relief from the
Automatic Stay with respect to the Property.
BARLEY SNYDER LLC
By: /s/ Shawn M. Long
Shawn M. Long, Esquire
Attorneys for Appellee Fulton Bank
126 East King Street
Lancaster. PA 17602-2893
(717) 299-5201
Court I.D. No. 83774

3:30 PM - 4:00 PM

Berks Reading Commonwealth Court of Common Pleas John Wert

John Wert Assistant to Judge Scheaffer


610-478-6675
610-478-6550
John Wert"possibly insufficient documentation", well I said possibly,
file again to reconsider?" should I show you my empty wallet?
Did not know what he was talking about.

3:30 PM - 4:00 PM

LGH Chris Mattson of Barley Snyder -- 126 E. King Street, Lancaster, PA 17602 299-5201

He confirmed via telephone passed on message of Fri to LGH, said no comment.


Asked what we suggest we do, "no comment".
9:00 PM - 10:00 PM

Dixie Chicks Larry King Live

June 01, 2006


Thursday
2:30 AM - 3:00 AM

CSPAN

FBI Search and Constitution for Congressional memberbs


Robert Walker testified.
9:00 AM - 9:30 AM

Maj Dist Justice Commins Contineance Filed -- Lancaster County Courthouse

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CRIMINIAL DIVISION
Commonwealth of Pennsylvania

:
:

CRIMINAL ACTION NO.


CR-0000169-06

:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516

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:
:
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STATE OF PENNSYLVANIA

:
:
: ss

COUNTY OF LANCASTER

___________________________________________________________________________
_______________
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CRIMINIAL DIVISION
PETITION FOR CONTINUANCE
I hereby petition the courts for a continuance in the foregoing case allowing the PETITIONER
to prepare a sufficient defense of the charges filed by the Commonwealth of Pennsylvania on
the following grounds:
1. PETITIONER has had files stolen from his residence and office, most recently
reported to the Southern Regional Police Department on May 26, 2006 that are
required to formulate a defense of the charges filed.
2. PETITIONER must confront issues dealing with the current litigation of civil actions
filed in the United States District Court for the Eastern District of Pennsylvania filed in
May of 2005 which are paramount to the PETITIONERS right to due process and will
assist in the PETITIONERS formulation of a sufficient defense for the foregoing
case.
3. PETITIONER is pro se and is facing financial difficulties that if unattended will leave
the PETITIONER without the following necessities that are required to formulate a
proper and sufficient defense of the charges filed and PETITIONER alleges
misconduct and criminal activity resulting in his financial demise :
a. Communication telephone, facsimile, and email, and U.S. postage
b. Transportation gasoline and maintenance required to file a legal
requirements at the Lancaster County Courthouse, the Bankruptcy Court of
Eastern Pennsylvania in Reading, Pennsylvania, and the United States
District Court for the Eastern District of Pennsylvania in Philadelphia.
c. Food PETITIONER is currently in the process of appeal with the
Pennsylvania Department of Welfare for Food Stamps and other benefits.
d. Internet Service Such service is required to formulate a proper defense of
the charges filed.
4. PETITIONER requires sufficient time to subpoena witnesses required to formulate a
proper defense of the charges filed.
5. PETITIONER
PETITIONER is requesting that the Court provide at least a 30 day Continuance to alleviate
the above and formulate and prepare a proper and sufficient defense of the charges filed by
the Commonwealth of Pennsylvania.
DATED: _________________
_____________________________
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184
amgroup01@msn.com
_______________________
_______________________
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_
Commonwealth of Pennsylvania

:
:

VI.

CRIMINAL ACTION NO.


CR-0000169-06

:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516

ORDER

AND NOW, this __________ day of June, the Petition for a Continuance is granted and the
Hearing for the above reference case will be rescheduled by the Magisterial District Justice at
a later time and date.

BY THE COURT:

____________________________
____________________________

DATE:

Copies to:

Petitioner
Magisterial District Judge
___________________________________________________________________________
______________________

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CRIMINIAL DIVISION
CERTIFICATE OF SERVICE

Stanley J. Caterbone represented by Stanley J. Caterbone


220 Stone Hill Road PRO SE
Conestoga, PA 19516
Service To:
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June 01, 2006 Continued


Thursday
MDJ B.D. Commins
15 Geist Road
Lancaster, PA 17601
Mr. Donald Totaro
Lancaster County District Attorney
50 North Duke Street
Lancaster, PA 17602
Certificates of Service were sent by United States 1st Class Mail on June 1, 2006.
By, ________________________________
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184

June 02, 2006


Friday
All Day

Grassell serve via US 1st Class Defualt Notice

TO:

Thomas D. Grassel
91 Hilltop Drive
Conestoga, PA 17516

Date of Notice:

June 1, 2006

IMPORTANT NOTICE

YOU ARE IN DEFAULT BECAUSE YOU HAVE FAILED TO ENTER A WRITTEN


APPEARANCE PERSONALLY OR BY ATORNEY AND FILE IN WERITING WITH THE COURT
YHOUR DEFENSES OR OBJECTIONS TO THE CLAIMS SET FORTH AGAINST YOU. UNLESS YOU
ACT WITHIN TEN DAYS FROM THE DAT OF THEIS NOTICE, A JUDGEMENT MAY BE ENTERED
AGAINST YOU WITHOUT A HEARING AND YOU MAY LOSE YOUR PROPERTY OR OTHER
IMPORATANT RIGHTS.
YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT HAVE
A LAWYER, GO TO OR TELEPHONE THE OFFICE ST FORTH BELOW. THIS OFFICE CAN
PROVIDE YOU WITH INFORMATION ABOUT HIRING A LAWYER.
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IF YOU CONNOT AFFORD TO HIRE A LAWYER, THIS OFFICE MAY BE ABLE TO
PROVIDE YOU WITH INFORMATION ABOUT AGENCIES THAT MAY OFFER LEGAL SERVICES TO
ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE.
Lawyer Referral Service
28 East Orange Street, Lancaster, PA

(Name Of Office)
17602
(Address of Office)

717-393-0737
(Telephone)
(Signature of Plaintiff or Attorney)
220 Stone Hill Road, Conestoga, PA 17516
(Address)

COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
LANCASTER COUNTY

CERTIFICATE OF SERVICE

Stanley J. Caterbone represented by Stanley J. Caterbone


220 Stone Hill Road PRO SE
Conestoga, PA 19516
Schedule F
Addendum to Add Creditors to Schedule
Service To:
Thomas D. Grassel
91 Hilltop Drive
Conestoga, PA 17516

Certificates of Service were sent by United States 1st Class Mail on June 2, 2006.
By, ________________________________
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
amgorup01@msn.com

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June 02, 2006 Continued


Friday
1:30 PM - 2:00 PM

File DJ Simms Continuance

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CRIMINIAL DIVISION

Commonwealth of Pennsylvania

:
V

CRIMINAL ACTION NO.


NT-0000598-06
NT-0003557-06

:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516

:
:

STATE OF PENNSYLVANIA

:
:
: ss

COUNTY OF LANCASTER

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CRIMINIAL DIVISION
PETITION FOR CONTINUANCE
I hereby petition the courts for a continuance in the foregoing case allowing the PETITIONER to
prepare a sufficient defense of the charges filed by the Commonwealth of Pennsylvania on the
following grounds:
1.
2.

3.

Advanced Media Group

PETITIONER has had files stolen from his residence and office, most recently reported to the
Southern Regional Police Department on May 26, 2006 that are required to formulate a
defense of the charges filed.
PETITIONER must confront issues dealing with the current litigation of civil actions filed in the
United States District Court for the Eastern District of Pennsylvania filed in May of 2005 which
are paramount to the PETITIONERS right to due process and will assist in the
PETITIONERS formulation of a sufficient defense for the foregoing case.
PETITIONER is pro se and is facing financial difficulties that if unattended will leave the
PETITIONER without the following necessities that are required to formulate a proper and
sufficient defense of the charges filed and PETITIONER alleges misconduct and criminal
activity resulting in his financial demise :
a. Communication telephone, facsimile, and email, and U.S. postage
b. Transportation gasoline and maintenance required to file a legal requirements at
the Lancaster County Courthouse, the Bankruptcy Court of Eastern Pennsylvania in
Reading, Pennsylvania, and the United States District Court for the Eastern District of
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Pennsylvania in Philadelphia.
Food PETITIONER is currently in the process of appeal with the Pennsylvania
Department of Welfare for Food Stamps and other benefits.
d. Internet Service Such service is required to formulate a proper defense of the
charges filed.
PETITIONER requires sufficient time to subpoena witnesses required to formulate a proper
defense of the charges filed.
PETITIONER
c.

4.
5.

PETITIONER is requesting that the Court provide at least a 30 day Continuance to alleviate the above
and formulate and prepare a proper and sufficient defense of the charges filed by the Commonwealth
of Pennsylvania.
DATED: _________________
_____________________________
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184
amgroup01@msn.com

Commonwealth of Pennsylvania

:
VI.

CRIMINAL ACTION NO.


CR-0000169-06

:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516

ORDER

AND NOW, this __________ day of June, the Petition for a Continuance is granted and the Hearing
for the above reference case will be rescheduled by the Magisterial District Justice at a later time and
date.

BY THE COURT:

____________________________
____________________________

DATE:

Copies to:
Advanced Media Group

Petitioner
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June 02, 2006 Continued


Friday
Magisterial District Judge

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CRIMINIAL DIVISION

CERTIFICATE OF SERVICE

Stanley J. Caterbone represented by Stanley J. Caterbone


220 Stone Hill Road PRO SE
Conestoga, PA 19516
Service To:
MDJ Richard H. Simms
301 N. Queen Street
Lamcaster, Pa 17603
717-299-7966
Mr. Donald Totaro
Lancaster County District Attorney
50 North Duke Street
Lancaster, PA 17602
Certificates of Service were sent by United States 1st Class Mail on June 1, 2006.
By, ________________________________
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184

2:30 PM - 3:00 PM

MJD Smith Continuance File via 1st Class Mail

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CRIMINIAL DIVISION
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Friday
Commonwealth of Pennsylvania

:
V

CRIMINAL ACTION NO.


NT-0000598-06
NT-0003557-06

:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516

:
:

STATE OF PENNSYLVANIA

:
:
: ss

COUNTY OF LANCASTER

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CRIMINIAL DIVISION

PETITION FOR CONTINUANCE

I hereby petition the courts for a continuance in the foregoing case allowing the PETITIONER to
prepare a sufficient defense of the charges filed by the Commonwealth of Pennsylvania on the
following grounds:
1.
2.

3.

4.
5.

PETITIONER has had files stolen from his residence and office, most recently reported to the
Southern Regional Police Department on May 26, 2006 that are required to formulate a
defense of the charges filed.
PETITIONER must confront issues dealing with the current litigation of civil actions filed in the
United States District Court for the Eastern District of Pennsylvania filed in May of 2005 which
are paramount to the PETITIONERS right to due process and will assist in the
PETITIONERS formulation of a sufficient defense for the foregoing case.
PETITIONER is pro se and is facing financial difficulties that if unattended will leave the
PETITIONER without the following necessities that are required to formulate a proper and
sufficient defense of the charges filed and PETITIONER alleges misconduct and criminal
activity resulting in his financial demise :
a. Communication telephone, facsimile, and email, and U.S. postage
b. Transportation gasoline and maintenance required to file a legal requirements at
the Lancaster County Courthouse, the Bankruptcy Court of Eastern Pennsylvania in
Reading, Pennsylvania, and the United States District Court for the Eastern District of
Pennsylvania in Philadelphia.
c. Food PETITIONER is currently in the process of appeal with the Pennsylvania
Department of Welfare for Food Stamps and other benefits.
d. Internet Service Such service is required to formulate a proper defense of the
charges filed.
PETITIONER requires sufficient time to subpoena witnesses required to formulate a proper
defense of the charges filed.
PETITIONER

PETITIONER is requesting that the Court provide at least a 30 day Continuance to alleviate the above
and formulate and prepare a proper and sufficient defense of the charges filed by the Commonwealth
of Pennsylvania.
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Friday
DATED: _________________
_____________________________
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184
amgroup01@msn.com

Commonwealth of Pennsylvania

:
VI.

CRIMINAL ACTION NO.


CR-0000169-06

:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516

ORDER

AND NOW, this __________ day of June, the Petition for a Continuance is granted and the Hearing
for the above reference case will be rescheduled by the Magisterial District Justice at a later time and
date.

BY THE COURT:

____________________________
____________________________

DATE:

Copies to:

Petitioner
Magisterial District Judge

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CRIMINIAL DIVISION

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June 02, 2006 Continued


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CERTIFICATE OF SERVICE

Stanley J. Caterbone represented by Stanley J. Caterbone


220 Stone Hill Road PRO SE
Conestoga, PA 19516
Service To:
MDJ Richard H. Simms
301 N. Queen Street
Lamcaster, Pa 17603
717-299-7966
Mr. Donald Totaro
Lancaster County District Attorney
50 North Duke Street
Lancaster, PA 17602
Certificates of Service were sent by United States 1st Class Mail on June 1, 2006.
By, ________________________________
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184

June 03, 2006


Saturday
7:00 PM - 7:30 PM

Email to All Contacts Soveriegnty Document

Advanced Media Group


220 Stone Hill Road
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Conestoga, PA 17516
www.amgglobalentertainmentgroup.com
infor@amgglobalentertainmentgroup.com
717.731.8184 Phone
717.427-1621 Fax
HAD LANCASTER COUNTY (Pennsylvania) LOST ITS SOVEREIGNTY BEFORE IT
LOST ITS SOUL?
Authored in May of 1998
Each time a man stands up for an ideal, or acts to
improve the lot of others, or strikes out against
injustice, he sends forth a tiny ripple of hope. And
crossing each other from a million different centers
of energy and daring, those ripples build a current
which can sweep down the mightiest walls of
oppression.. by Robert F. Kennedy

In 1987 This Plaintiff Had Unjustly Lost His Freedoms, His Rights, And His Pursuit Of
Life, Liberty And Justice.

The following report (most identities purposely omitted from this version) is an
amazingly true and factual account of an extraordinarily bizarre tragedy that has turned one
mans life into an eleven (11) year free fall into Dantes Hell.
On the surface, this is a story of a victim struggling to seek the truth, but in reality, the
evidence will conclude that this is a victim, literally, held hostage by virtue of his truth. Later,
the preponderance of evidence that the victim has amassed and his obsession for
meticulously documenting his ordeal might seem eccentric, yet his demonstrated ability to
react to events before they unfold appears mystical. And this was his manner in which he
tactfully defended and protected his life. It is these actions that have painted the landscape
with a dire vengeance for his ruin. His actions will ultimately serve to protect, preserve, and
foster the truth of his story, incriminating the culpability of his many perpetrators, while at the
same time being twisted and tainted in a relentless manner to attack his credibility.
This is a story of a human being endearing for his rights, living in fear of his life, and
the remedial actions required for the truth to set him free. A victim forever believing in his
accomplishments and his visions, yet forced to adhere to a life of their diversions. Fatefully,
ten years after being taken as a political hostage, with the aid of numerous arrests and false
imprisonments conveniently falling short convictions , a Federal Judge, Judge Stuart Dalzall,
of the Eastern District Court of Pennsylvania, opened a Pandoras Box into the true colors of
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the inner workings and politics of ultra conservative Lancaster County, Pennsylvania. A
supposedly Gods country. His findings reeled a dramatic and emotional response from the
Lancaster County community that was akin to the assassination of JFK . A community where
obstructions of justice strikes a startling and stark contrast to the image it so desperately
embraces. A community proud of its tough on crime judges, a community of plain folks
and
Amish, and a community settled in a beautiful landscape abundant in an agricultural bounty.
This is not a community of compromising integrity. Or so it has been perceived.
Judge Dalzalls extremely controversial findings were responsible for Pennsylvanias
own crafting of the Laurie Bill, the retaliation by the Commonwealth of Pennsylvania
intended to curb the Federal Courts interference within the respective states own jurisdictions
and proceedings. Or was it a political maneuver to close the lid on Pandoras Box? The
Pennsylvania Attorney General and the Lancaster County District Attorney have both thrown
all their might and all their muscle at turning the tides of Judge Dalzalls findings. This story
and this victims rights have been violated and abused by some of the very same principals
that were responsible for Judge Dalzalls unsettling revelations. Lancaster County prosecutors
were found to have engaged in one of the grossest acts of prosecutorial misconduct found in
the English speaking language, which allegedly occurred in this now famous Lisa Michelle
Lambert case, a murder trial which began in the summer of 1992. Subsequently, it is now in
the midst of a treacherous appeal process convened by Judge Dalzall. And if so by fate, in
Philadelphia, Pennsylvania, the home of the Freedom Fighters.

It is this public disclosure, that casts a new light and sudden hope for freedom into
this victims unbelievable and horrid story, that begun just four years prior to the murder of
Laurie Show. It is the decisive similarities of how both victims were subjected to a very
calculated and politically motivated attempts to frame and fabricate circumstances to
obtain the results that justified the means for illicit self-serving interests. This very same
conduct, committed by public servants, elected and enlisted to enforce the law, to which
Judge Dalzell found so appalling. Conduct, which violated the very same rights their
respective offices are commissioned to protect. Conduct which strikes the meaning of We
The People from our nations very own Constitution.
Fortunately, this victims story is laced with a thread of faith, a faith in God. And
because of his faith, this victim will forever regard Lisa Michelle Lambert and Laurie Show as
his little Angels of Justice, a Godsend. An answer to his many prayers, that for the first time
in ten years provided a small glimmer of hope, and a few moments of solitude that have
materially justified his own tragic experience. The realization that the truth is that much more
believable because of the trials and tribulations of Lisa Michelle Lambert. Unfortunately, this
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revelation came at the unfortunate and untimely death of Laurie. However, it just may be
Gods intentions of a Higher Purpose.
This story was perpetuated through a gross miscarriage of justice: a tenure of
malicious wrongdoing by both the law enforcement community of Lancaster County and the
Commonwealth of Pennsylvania, as well as community leaders. A process that continues
obstruct this victims rights for justice. Its mannerisms reach into the inner soul of political
and judicial corruption. All in the name of greed, and all in the honor of continuing the status
quo of the Good Ole Boys club of Lancaster County. A process obsessed with keeping its
disclosure from escaping beyond the confines of Pandoras Box. Its a tenure of power that
evolved from the days of this countrys earliest settlers, but an evolution that has somewhere
strayed away from the intent of our constitution;
with total disregard for the law, in total disrespect for the Constitution, and void of many of our
civil liberties. This atrocity, like the Lambert case, would have made our founding forefathers
revel in disgust and bellow in despair. In fact, their spirits and energies probably are!
AT ISSUE
The central issue in this story, is a cover up, a cover up of mass proportions, and of
perplexing design, with national consequences. The fact of the matter is that this cover up
has had ramifications throughout this world, specifically the Middle East The cover up would
be emphatically unbelievable without the wealth of evidence, especially the recorded
conversations with Pennsylvania officials. A cover up that permeates from what will later
emerge as the 4th largest financial fraud (Billion Dollars) in the history of the United States
coupled with the covert sales of arms to Iraq. And five years after this cover up began, these
same munitions were used against our own troops in the Persian
Gulf War. And of course, there are admitted ties to the Central Intelligence Agency (CIA) and
the National Security Agency (NSA).. And this cover up and story, which began in June of
1987, in Lancaster County, preceded criminal indictments by the United States Attorney
General, the Federal Bureau of Investigation (FBI), the Internal Revenue Service (IRS), the
Department of Justice and Commerce, and more. A vast array of criminal activities conspired
from the ultra conservative Lancaster County, where God is supposedly supreme, and its
hard line approach to crime is said to be preeminent. In June of 1987, Lancaster County was
immersed in a dynamic twist of fate, with a host of
players which may never be fully identified.
The irony of this story is how Lancaster County manages the disclosure of the very
same criminal activities that this story proves that it condoned, prior to the intervention of
federal authorities. It most dramatically will prove the nature of its integrity, or lack thereof.
International Signal & Control, (ISC) is the controversial player in this web of conspiracy. In
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1987, the third largest employer187


in Lancaster County, a non-discrete defense 9/25/2006
contractor.
In AM
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due respect to our beloved country, this report is in no way challenging the policies or the
activities of the Department of Defense, or the vast agencies of the Intelligence Community,
especially the CIA or the NSA (National Security Advisory). with regards to ISCs foreign
dealings. Trying to protect the world of malicious and evil empires is a process which never
ends, and whos players are constantly changing. And our respective intelligence agencies
are continually challenged with the task of trying to make a difference, in accordance with
protecting our national security. Unfortunately, given the nature of their discrete activities, and
given the CIAs history of avoiding congressional approval in certain situations, our current
laws are void of effectively dealing with the peripheral catastrophes of such activities that
inherently transpire. The CIA remains immune, while everyone outside suffers the
consequences.
The fact that the CIA, or anyone of the other intelligence community, may have been
involved, does not grant a blanket of immunity over activities which were not material to
protecting our national security. If a company provides a service to anyone in the intelligence
community, our constitution, our laws, and its respective commercial regulatory authorities,
must still have the full sense of their jurisdiction. The intelligence community may not have
the right of intervention into the commercial enterprise, or organization, circumventing the
rights of its employees, shareholders, creditors, and customers. No United States law or
statute suggests that there is any involuntary mandate that requires any of the preceding to
compromise their interests in the respective enterprise for the sake of national security, or the
respective intelligence agency. There must be considerations paid to all involved for those
rights and interests that compromise
such a relationship. Otherwise, the CIA could effectively gain control of any domestic
corporation it so desires, without ever owning one share of its outstanding stock, simply by
enlisting its product or services for the sake of national security. The CIA requires a formal
vehicle to enlist the aid of our domestic commercial enterprises. ISC is a proven and
unfortunate example of that.
This victim was a shareholder of record of International Signal & Control (ISC) for the
previous four years prior to when this tragic ordeal began. The victim was to purchase the
stock from now Republican Pennsylvania Senator Gib Armstrong, who was in the brokerage
business at the time and selling ISC stock. The stock was sold over the London Securities
Exchange, supposedly for reasons to suppress information. The victim was interested in the
stock because of his appetite for technology, and was more curious about the business of
ISC, than anything. In fact, the victim had never made any inference to any of the illicit
dealings with Iraq. However, the perpetrators of this story, attempt to hide behind a vale of
national security," in an effort to find legal immunity from all wrongdoing. In accordance, the
record will prove that this is merely a smoke screen used to intimidate and obstruct the
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victims access for due process of the law.
The trials and tribulations of this victim are unprecedented in terms of emotional
and psychological duress, fortunately his indestructible faith in God, and his enduring belief in
himself and the truth, endures his life. There was one attempt on the his life, days within the
public disclosure of the CIAs involvement with the local Lancaster County defense contractor
(ISC), which Ted Kopel reported on ABC News Nightline, on May 23, 1991, 4 years after the
initial cover up began. This story will depict a series of systematic and strategic offensive
attacks upon this victim and his businesses that will result failed business enterprises, and a
Hollywood motion picture, deserted. An impeccable professional reputation and a flawless
credit rating purposely sabotaged. Financial opportunities, that in 1987, were almost
impossible to extrapolate, Vast financial opportunities and aspirations forever a part of
history. This horrendous
crime was perpetrated for the interest of a cover up, further protecting the corrupt
enterprises of Lancaster County's International Signal & Control (ISC). A quest for justice that
polarized every relationship the victim maintained, in Lancaster County and beyond,
including friends and family. This story demonstrates a methodology of his perpetrators for
keeping this victim quarantined from justice and public disclosure, through a malicious
means of credibility proponents, and horrendously deceptive tactics. Financial motives
prominently displayed in the hands of all of the perpetrators, which absolves the burden for a
traditional conspiracy..
The emotional response to the truth of this story is compelling, to say the least.
Subsequently, the startling keen sense of perception that the victim had demonstrated, is
even more intriguing. It is this extraordinary quality that is responsible for saving his life, while
yet at the same time providing his perpetrators with an alibi and a vehicle for discrediting his
startling allegations and his story. This story embellishes a dichotomy of perception that had
Hollywood producers from his film project call his work genius, while his perpetrators from the
Lancaster County Community conveniently and maliciously labeling him as insane and
emotionally disturbed."

THE LANDSCAPE
The perplexing question of the victims intelligence, or lack thereof, is best analyzed
as a question of perception. However it terms of the legal consequences of the activities
contained herein, they are of little if any relevancy. The fact of the matter is that the mental
deficiencies have very little relevancy to this story, other than serving as a means to
discredit the victim, a vehicle to facilitate the cover up, and a blanket of immunity for all of
the perpetrators.
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The heart of this victims legal dogma is best described as follows: If a person, is
perceived to have a mental deficiency; yet whose actions and decisions are always proven
to be instinctually and amazingly prudent, always abiding within the law, and in the best
interest of his affairs, what rights and protection do the laws afford him from persons abusing
that perception, in order to yield political and financial rewards, as a direct consequence of his
demise? Furthermore, how does the law protect his rights, if any and all malicious acts
against this victim, are constantly and immediately disregarded because he is perceived to
not to be credible? As this story unfolds, these questions will become even more troubling
and appalling. Although the victim could never describe the pain of his trauma, he would
often say that the closest situation that may compare is that of a woman being continuously
raped, night after night, helplessly praying for relief, struggling to free herself from her captor,
all with no avail. He would call it as being brain f------.
The victim, coming from the lower middle class of Lancaster City, was only 29 years
old when this tragedy began. Coming from a broken home, he was the third of six boys. While
at a very young age, he would help his mother run a dry cleaning business, in an amazing
similarity like Lisa Michelle Lambert, he had also nursed his mother during bouts of
depression. While in high school, he was nursing his mothers depression, while at same time
tending to his older brothers bouts of schizophrenia. The victim had learned to listen to the
obscenities of mental illness since he was a child. He learned to fill the shoes of his absent
father in helping his mother raise his three younger brothers.. The victim was often called the
little old man because of his extraordinary maturity as a child. The victim was determined to
break the barrier of the Good Ole Boys club or the power elite, and had always felt a
sense of compassion for those less fortunate, and those neglected by those of material
means, the oppressed and impoverished. He had an undivided aspiration to someday make a
difference to those that could not help themselves, especially his older brother. Through his
ingenious, resourceful, and honest business approach, he was relentlessly growing his
business and their respective missions, in constant reminder of his oppression. His in depth
understanding of computer technology and his vision were his most powerful allies. Always
pushing the envelope for advanced technologies and seeking solutions for the most efficient
means of his operations.. He knew that every break was going to be few and far between, he
dedication himself to his work, and married his business affairs, always embracing his
projects with a passion.
In 1986, after serving on the Board of Directors for the Central Pennsylvania Chapter
of International Association of Financial Planners (IAFP), the victim had made a large
contribution to increasing its membership and its awareness among local professionals, as
its vice president. In an effort to promote the organization, the victim solicited a nationally
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recognized and prominent financial planner from Washington, D.C., to be a headline speaker
at a dinner meeting. Ms. Alexandra Armstrong, one of the most nationally recognized
financial planners, often headlined in Money Magazine, attracted 100 industry professionals
to the Treadway Resort Inn. The attendance was unprecedented for the local IAFP chapter.
The IAFP is the authoring organization for certification as a financial planner. It was through
the direct conversations with Ms. Armstrong regarding his ideas and her experience, that
inspired the victim to pursue his ambitions of growing his own financial firm, which he began
in the following months.
Disgruntled with the conflicts of interest and the lack of incentive for various
professionals to work together in managing ones wealth, a process which lacked efficiency,
this entrepreneur founded the firm Financial Management Group, Ltd., or FMG as it was
often called. The firm was to incorporate a one-stop-shopping strategy and incorporate
financial services, legal, accounting, tax preparation, real estate, insurance, mortgage
banking, and estate services all in one firm, all residing in one location, all taking advantage
of the synergistic approach toward managing wealth. And to provide the professionals long
term security and equity participation, all participants were encouraged to purchase stock in
the company. This was a new and innovative approach that attracted a lot of attention from
investors and clients, but also came a lot of nervous twitches from competitors, especially in
conservative Lancaster County.
The victim began recruiting professionals from all of the other firms, with great
success. He had enlisted two partners whom he had worked with at IDS/American Express, to
carry out his mission, which he began after extensive market studies and his early version of
the company, Pro Financial Group, Ltd., His two partners had followed the victim to an
independent broker dealer in Atlanta, named Financial Services Corporation, where Ms.
Alexandra Armstrong was associated, and encouraged the victim to visit, during their
discussion after dinner. Within one year, by June of 1987, the firm had invested over $40
million for respective clients.
The company had developed satellite offices throughout Pennsylvania and in several
other states, through his unique design. This firm was causing the other financial services
companies and the local banks in Lancaster County a run for their money. The firm had built
a new 20,000 square foot office building just a few miles north of the city. The firm was
attracting clients, associates, and nervous attention from, well just about everybody.
Considering the capabilities, legal, real estate, insurance, financial services, accounting, FMG
was making as many enemies as it was making friends. And the victim always believed in
the premise that its always better to have people talking about you, regardless of the matter,
than to have no one notice you. And they were talking. The victim was only in his late
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twenties when he started this organization,. He held several positions, he was Executive Vice
President and Secretary of Financial Management Group Ltd, and President of FMG,
Advisory, Inc., which was one of the many subsidiaries parent company owned. The victim
acted as the architect and legal administrator of the organization, in addition to building his
own financial planning clients. He filed all of the articles of incorporation in the
Commonwealth of Pennsylvania and submitted all of the tedious and rigorous filings
necessary for the Pennsylvania Securities Commission, which were very demanding
considering the victim was selling stock of his company to his associates and investors. The
victim and his associates had also attracted some very prominent Lancastrianss to invest in
his venture, coming from various professional circles, all infatuated with this extraordinary
and intriguing concept of this young victim. All had seen its potential for success and
financial reward.
Many of his friends were involved, and in Lancaster, everyone knows everybody, so it
seams.. And everyone talks, gossip is as common as jogging. This exaggerated trait of
Lancaster County, will later to come back to haunt this victim, in a way that is most sickening.
In a way that will parallel the attitudes and sentiments in the Lisa Michelle Lambert story.
In 1987, his business affairs were reaching a point of incredible success. In fact, most
of his family and friends, have always questioned the merits of their legitimacy. He always
conducted his affairs with the presumption that time could not afford the opportunity to
complete his agenda, while at the same time disclosing his business affairs to persons that
were not directly involved.. Accomplishing his mission was first and foremost. But in
Lancaster County, that was difficult. Lancastrianss have a notion to fear what they dont
know, and will always believe what they think they know, regardless of its merits. In
Lancaster County new ideas are shunned unless coming from their own, and their own ideas
are often kept close at bay, inhibiting progress and stymieing learning. By June of 1987, a
majority of his business affairs were conducted out of the grasp of Lancaster County, his
unknown activities made others curious, especially in Lancaster County, where the blessing of
the power elite was essential for success. But, deep down inside, he knew he could never be
accepted, because he did not descend from a family of social grace. This fueled his
aspirations for success even further, committed to prove that intelligence was innate and
learned, not a direct correlation to material wealth or social grace.
One of his most cherished testimonials to his concept, his reputation, and his mission,
was provided by an elder attorney, Mr. Kenellm Shirk, a very respected and prominent older
Lancaster attorney, who was part of the status quo. Mr. Shirk had petitioned the Pennsylvania
Bar Association, after meeting with the victim, to obtain their blessing and their knowledge of
any laws which would forbid his firm to provide a satellite office in the headquarters of
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Financial Management Group, Ltd., (FMG) Mr. Shirks firm was to provide a partner, and
estate services to the clients of FMG. The Pennsylvania Bar provided a lengthy
recommendation that did not prohibit a relationship, although cautioned it to proceed with
careful review. The fact that the very young and unknown victim could attract an elder,
conservative Lancaster County attorney to associate with his firm was an encouraging sign of
respect. Ironically, Mr. Shirk is the father of Roy Shirk Jr., Lisa Michelle Lamberts first
attorney who represented her during trial of 1992, the proceeding which was the center of
Judge Dalzalls controversial and appalling findings.

The victim prided himself on his

entrepreneurship , and after building the foundation for FMG, he set out to take advantage of
its resources and its synergism.
By June of 1987, the victim had developed a fairly substantial mortgage banking
relationship with a Houston, Texas banker. That operation was capable of providing lending to
potential developers and businesses in the range of $ 3 million to $100 million. And the
lending packages were as competitive if not more competitive than the local lending
institutions of Lancaster County, capable with even higher lending limits. In a matter of
months of securing this relationship, the victim and his partner were evaluating deals from
Pennsylvania, New Jersey, New York, Florida, and as far away as California.
There was a uniqueness to his capabilities that was very appealing to potential
borrowers. Because of the vast array of services of FMG, potential developers had the
opportunity to obtain both debt and equity financing through his companies. In plain terms,
most shopping centers raised capital by raising funds through investors coupled with a
mortgage. This gave potential developers one place to take down the deal rather than
dealing with many other professionals at the same time. It was a much more efficient process
for all. The victim was capable of providing a mortgage, while at the same time selling
shares in a shopping center through its vast client base of investors at FMG. This also gave
the victim a formidable presence into the venture capital markets, by way of his strong ability
to raise capital through his vast portfolio of clients of FMG. And this was a rarity that
developers and investors loved. Investors were attracted because they could invest in equity
type real estate projects with real sense of knowing the developer, or kicking the bricks of
the project. This was far different than investing in a nationally syndicated project, with
properties scattered all over the country, and with developers that they did not know. The
synergistic approach to his organization began paying dividends by developing other
peripheral markets and businesses.
Given the complex nature of the victims design of FMG, internal struggles within the
organization readily became the challenge. Orchestrating the relationships among all of the
different professionals, and trying to adhere to the interests of the clients, the professionals
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and of the firm, FMG, managing the daily activities required immense thought and prudence
on the part of the principals. Of, course, the victim assumed honesty and integrity to be a
given. And for most it was. However there were times when the senior partner engaged in
tactical rights of power.
In the later part of 1986, after the victim had developed FMG to the point where its
future was on stable grounds, his two partners conveniently attempted to circumvent his
position and regain control of his stock and the firm. In fact, after the victim refused to
collaborate on a scheme to set up his other partner, the remaining two partners began to
attempt to regain the victims control. Through intimidating techniques, the partners began to
attack his presence. The victim became agitated, especially because he played the lead role
and was responsible for the formation of the company, methodically designing and
developing its foundation, with great success. And now after the company was beyond its
point of greatest risk, due to in large part the victims efforts, the other two partners wanted to
take advantage of his work, and take the cream of the pie for their own financial gain. It was
a difficult task to carry out because the victim was the most respected of all three partners,
consistently keeping their respective policies in the best interest of the firm and of the other
associates and stockholders. In fact, most feared that the loss of control of the victim would
ultimately lead to adverse consequences. However the two partners trued unsuccessfully to
weaken his position, and when that didnt work, they focused on weakening the victim, via
intimidation and humiliation The coup and hostile environment caused a state of depression
for the victim, although he kept to his daily duties and responsibilities, accordingly, he called
a client and friend who was a psychiatrist, whom he trusted and respected. It was easy access
to a professional, yet on a very informal basis. Because the victim had a family history of
mental deficiencies, he wanted to seek the proper help.
The psychiatrist had diagnosed the victim as having Bi Polar Mood disorder. The
psychiatrist had quickly discounted any correlation between the current state of affairs, and
his partners abuse. The psychiatrist rationale was that because the startup of the company
was so successful in such a short period of time , and his demonstrated intelligence and
creativity, the victim must have been in a state of mania, and of course now, was subsiding
in a state of depression, the typical cycle for manic depressants. The victim complied with
the psychiatrist. And after refusing to sell out to his partners, vowed to regain his business
and rescind any efforts to give up his claim to his accomplishments. The depression soon
faded. The victim never disclosed the fact that he had sought help to anyone other than
family members. This coup lead to the victims aggressive approach to grow the business,
and to posture himself in projects that would ultimately remain in his control, out of the
influence of his partners. Particularly the mortgage banking activities and the digital movie,
which he did successfully, but apparently too successfully.
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THE DIGITAL MOVIE
Through an act of fate, in February of 1987, the victim found himself in a
meeting with Tony Bongiovi at Power Station studios. Through one of his partners, he
reluctantly traveled to New York to consider financing a motion picture. The victims own lack
tolerance for the risk associated with film investments was overshadowed by the opportunity
to visit a recording studio. Although his associate was a friend of Tonys, he was not familiar
with his accomplishments, or his work, so he thought. If nothing else, it was a weekend away
from Lancaster, and a chance to visit the Big Apple. Intriguingly, he found more than he had
ever imagined on that weekend excursion. Tony Bongiovi, a musical genius, whos credits
include one of the most recognized recording studios in the country, Power Station Studios.
Tony Bongiov produced the sound track for Star Wars, and is responsible for the format of
one of the most successful recording artist of the 80s, Jon Bon Jovi, his cousin. Power
Station
has recorded the albums for some of the most influential artists of all time, including Diana
Ross, Madonna, The Rolling Stones, Steve Winwood, Bruce Springsteen, etc., Tony, an
eccentric genius, of Italian decent, had many talents, from music to aerospace engineering.
The victims associates sister met Tony while he flew his plane into Lancasters airport for
repairs. They dated for some time and the victims associate and Tony became friends,
which led the victim to Tonys Power Station Studios.
Tony was looking to finance his new project, which was to be the first digital movie.
And, given the victims extreme appetite for technologies, coupled with his amazing sense of
perception, he dramatically recognized the future evolution for the technical merits of
delivering digital video and digital audio entertainment to the mass markets. By June of
1987, the victim was positioned as the Executive Producer, collaborating with Flatbush Films
of Hollywood California, the movie producers, entrusted with the mission of finding investors
to provide funding for the first digital movie, and to manage the ensuing business elements
it required.
The movie was to be shot on-location at the Jersey shore points, mostly in
Wildwood. Tony strategically envisioned making a movie in the horror genre. There were
several specific reasons that supported this strategy. First, he determined that it was the least
expensive format to produce, we all estimated a budget of $4 million for the production and
post production. Secondly, the horror genre would compliment a very intense sound track.
The sound track was important to enhance the new digital format, and also provide the
means to introduce a new band that he had been grooming in his studio for the past several
years, French Lick, his predecessor to Bon Jovi. There had been bad blood between Tony
and his cousin Bon Jovi, which resulted in legal disputes pertaining to Tonys financial
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interests in Jons success. It was an unfortunate situation considering Tonys father and Jons
father were brothers living in the same area. It was a subject that Tony never wanted to
discuss, except for his contributions toward Jons career.
If by another act of fate, the victim had the privilege of meeting one of the many
superstars while working at Power Station studios. While growing up, at an early age, the
victim would sneak up into the bedroom of his oldest brother, and start up his old General
Electric stereo phonograph and listen to his favorite album - Diana Ross and the Supremes. It
was a passion and a ritual that provided an early infatuation to music, and to Diana Ross. The
victim was only 10 or 11 years old. And at this early age, he noticed and listened to the
annoying hiss, that conventional hiss that always seemed to overshadow the music, whether
played on an album, on the radio, 8-track tape, or cassette.
And in a mystical twist of fate, while engrossed in a project dedicated to delivering
music without that hiss (digital) - the victim opened the door to the recording suite to pack his
bags for the journey back to Lancaster; - and there she sat, with a glowing array of beauty,
more beautiful than any picture could ever tell, Ms. Diana Ross. She was pregnant and in the
middle of a recording session, for a new album. Her assistant quickly demanded, in a stern
and protective voice, that we leave, and the victim and his associate replied this is our
makeshift bedroom, we are just gathering our belongings. The victim walked toward Diana
Ross, who was seated near his bag, and she asked and who are you?, the victim calmly
replied his name and absorbed as much of her beauty as his eyes could behold before
walking out the door. The room that was
his bedroom the nigh before, and suddenly transfixed into the recording suite of Diana Ross,
thinking back some twenty years earlier, one of the many gifts that God would bestow upon
him. A living memorial and reminder to his older brother, who died on Christmas day of 1985,
his best friend who taught him two of his greater pleasures in life, Diana Ross, and listening to
music. He prayed that his brother was watching from above.
And so, the digital movie project that the victim had embraced in 1987 had personal
significance, and he never ever doubted his instincts regarding the technical merits of the
project. The victims perception that the entertainment industry would deliver full length
motion pictures in a truly digital medium will later become a truly remarkable vision.
The technical merits of this project and at this particular time with respect to the
victims extreme sense of perception require analysis. To truly understand this time
perception, some of the attributes of digital technologies need to be fully understood. In 1987,
Compact DISC (CD) technology was only now being introduced to the commercial markets.
The victims own crafting of his joint venture proposals, dominated by the term digital
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movie, is in itself some 4 or 5 years away. In 1987, there was very little use of the term
digital, with the exception of research and development engineers. The victim will,
throughout the documentation of this story, will have preceded a terminology that has literally
become

the

root

of

most

technological

advancements

in

the

computer

and

telecommunications industries of our present day, 10 years after the victims vision. Today,
digital is found to be part of or referred to in just about every product available in the
commercial markets.
During May of 1987, the victim had created a joint venture proposal for SONY
Entertainment, Inc., for the digital movie. After weeks of researching the current state-ofaffairs within SONY, and after his proposal was completed, SONY publicly announced their
desire to open the markets for new and emerging technologies on the cover of TIME
magazine, another demonstrated sense of perception. It was this proposal, when delivered to
one of the Hollywood producers in Santa Monica, California, after reading a draft of the
proposal she said you are a genius. The proposal was introduced to Tony Bongiovi at the
Wildwood Boardwalk, where many of scenes were to be shot, and he approved of the
proposal and thought that it had great merits. Tony, who wanted very to do with the business
elements of his project, gave the victim complete authority to secure the financing of the
project, with a salary as Executive Producer, and a percentage of the profits on the back end.
After review of the victims research and proposals, his vision and his passion,
unfortunately without his efforts, has come to be known as Direct Satellite System, or DSS,
which is Sonys satellite entertainment system (TV), delivering digital audio and digital video
entertainment. That technology is fast eroding at the cable industry. The victim had his
patent research center around the PSDMS system, the Power Station Digital Movie System.
And that was in 1987, some seven years before SONY delivered his dreams. Later the victim
would also accurately predict that the 90s would become the Information Age because of
the direct contributions and advancements of digital technologies, which is directly
responsible for the development of the INTERNET.
The victims obsession with his digital movie has proven to be one of his most
remarkable demonstrations of his keen sense of perception.

June 05, 2006


Monday
12:00 AM - 1:00 PM

Chapter 11 Office of Trustee Motion to Convert to 7

Hearing Date: June 29,2006


Time: ll:00 a.m.
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Location: Courtroom #I, Reading, PA
IN THE UNITED STATES BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
IN RE: CHAPTER 11
STANLEY J. CATERBONE, BANKR. NO. 05-23059REF
Debtor.
UNITED STATES TRUSTEE'S MOTION TO DISMISS
OR CONVERT TO C M E R 7
The United States trustee for Region 3, in furtherance of the administrative
responsibilities imposed pursuant to 28 U.S.C. Section 586(a), hereby moves, pursuant to
1 1 U.S.C. 5 11 12(b), for the entry of an order dismissing this case, or converting this case to
one
under Chapter 7. In support of her motion, the United States trustee represents as follows:
1. The Debtor commenced this case on May 23,2005, by filing a volunta~y
petition under Chapter 11 of the United States Bankruptcy Code.
2. The Debtor's case has now been pending before this Court under Chapter
11 for over one year and the Debtor has failed to file and/or obtain approval of a disclosure
statement andlor confirmation of a plan of reorganization.
3. The Debtor has also failed to remain current with the filing of the monthl:
operatingtincome and expense reports required pursuant to the U. S. trustee Operating
Guideline
and LBR 201 5.1. To date, reports for the months of February through April, 2006, are past
due.
Further, the report for the month of May will be due prior to the hearing on the present Motion.
4. Upon information and belief, the Debtor has also failed to remain current
with the payment of his post-petition obligations including, but not necessarily limited to the
payment of statutory fees pursuant to 28 U.S.C. 5 1930(a)(6). The U. S. Trustee is unable to
determine the exact amount due and owing given the Debtor's failure to file the required
reports
as set forth above.
5. The Debtor's failure and apparent inability to obtain confirmation of any
plan of reorganization, and his apparent inability to remain current with his post-petition
obligations may evidence a continuing loss to or diminution of the Debtor's estate, the
absencc of
a reasonable likelihood of rehabilitation, and the Debtor's inability to effectuate a plan of
reorganization, and may constitute unreasonable delay by the Debtor which is prejudicial to
creditors, all of which are grounds for conversion or dismissal of this case pursuant to 11
U.S.C.
9 11 12(b).
For the reasons set forth above, among others, the U. S. trustee respectfully
requests that the Court conduct a hearing on the above issues and dismiss this case, or
convert it
to Chapter 7. If the case is dismissed and any quarterly fees remain due and owing at the
time of
the hearing on this matter, the U. S. trustee requests that the Court enter a judgment order
against
the Debtor and in favor of the United States trustee in the amount of all accrued fees owed
pursuant to 28 U.S.C. 4 1930(a)(6) as of the hearing date. The U. S. trustee specifically
reserves the right to supplement her motion at or prior to the hearing thereon.
DATED this day of May, 2006.
KELLY BEAUDIN STAPLETON
United States Trustee
By: /s/ Dave P. Adams
Dave P. Adams
833 Chestnut Street, Suite 500
Philadelphia, Pennsylvania 19107
(215) 597-441 1
(21 5) 597-5795 (fax)
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IN I'HE UNITED STATES BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
IN RE:
STANLEY J. CATERBONE,
Debtor.
CHAPTER 11
BANKR. NO. 05-23059REF
ORDER CONVERTING CASE
AND NOW, this - day of June, 2006, upon consideration of the U. S. trustee's
Motion to Convert to Chapter 7, and the Debtor's response, if any, it is now, therefore,
ORDERED, ADJUDGED and DECREED as follows:
1. The U. S. trustee's Motion to convcrt this case to Chapter 7 is GRANTED
and this case is hereby converted to Chapter 7.
IT IS FURTHER ORDERED as follows:
2. Within thirty days of the date of this Order, or on or before the meeting of
creditors scheduled in the converted Chapter 7 case, the Debtor shall file a schedule of
current
income, current expenditures, ail monthly operating reports and the stalcment of intentions,
of
applicable, required by 11 U.S.C. 5 521(1), (2).
3. The Debtor shall file all applicable statements, schcdules and reports in a
timely manner pursuant to FRBP 1019.
FURTHER, professionals employed by the Debtor are hereby directed to file an
application for compensation within thirty days of the entry of this Order for outstanding fees
and
expenses incurrcd during the Chapter 11 administration or, alternatively, turn over prepetition
retainers for which Court allowance has not been obtained, if applicable, to the appointed
Chapter 7 trustee.
Honorable Richard E. Fehling
United States Bankruptcy Judge
IN THE UNITED STATES BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
IN RE:
STANLEY J. CATERBONE,
CHAPTER 1 1
BANKR. NO. 05-23059REF
Debtor.
JUDGMENT AGAINST DEBTOR
AND ORDER DISMISSING CASE
AND NOW, this - day of June, 2006, upon consideration of the U. S. trustee's
Motion to Dismiss, and her request for entry of a judgment against the Debtor for all unpaid
fees
pursuant to 28 U.S.C. 1930(a)(6), and the Debtor's response, if any, it is now, therefore,
ORDERED, ADJUDGED and DECREED as follows:
Judgment in accordance with FRBP 9021 is hereby entered in favor of the United
,States trustee agai$nst the Debtor in the principal sum of being the actual
or minimum amount of the accrued but unpaid fees to the United States trustee pursuant to
28
U.S.C. 9 1930(a)(6), as amended;
IT IS FURTHER ORDERED that the U. S. trustee's Motion to Dismiss is
GRANTED and this case is hereby DISMISSED.
The Court shall retain jurisdiction to the extent necessary to enforce the terms of
this order upon the filing of an appropriate motion pursuant to 11 U.S.C. 9 350(b).
Honorable Richard E. Fehling
United States Bankruptcy Judge
IN THE UNITED STATES BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF PENNSnVANIA
IN RE:
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STANLEY J. CATERBONE,
Debtor.
CHAPTER I I
BANKR. NO. 05-23059REF
CERTIFICATE OF SERVICE
It is certified that on the 30th day of May, 2006, the United States trustee's Motion
to Dismiss or Convert to Chapter 7 was caused to be sewed electronically andlor by placing
copies thereof in the United StaY s Mail, postage prepaid, addressed as follows:
Stanley J Caterbone
220 Stone Hill Koad
Conestoga, Pennsylvania 175 16
By: /s/Nancv J. MiNer
Nancy J. Miller
Legal Clerk
ve Database Area
File a Motion:
05-23059-ref Stanley J. Caterbone
Type: bk Chapter: 1 l v
Assets: y Judge: ref
Office: 4 Weading)
Case Flag: APPEAL, FeeDue
U.S. Bankruptcy Court
Eastern District of Pennsylvania
Notice of Electronic Filing
The following transaction was received from ADAMS, DAVE P. entered on 513012006 at 2:50
I'M EST
and filed on 513012006
Case Name: Stanley J. Caterbone
Case Number: 05-23059-ref
Document Number:@
Docket Text:
Motion to Convert Case to Chapter 7 . Fee Amount $15.00, Motion to Dismiss Case Filed by
United
States Trustee Represented by DAVE P. ADAMS (Counsel). (Attachments: # (1) Proposed
Order # (2)
Proposed Order) (ADAMS, DAVE)
The following document(s) are associated with this transaction:
Document descripti0n:Main Document
Original filename:P:\Secretarial\Adams\Chapter 1 1\2006\caterbone\motion.pdf
Electronic document Stamp:
[STAMP bkecBtamp-ID=1008166204 [Date=5/3012006] [FileNumbe1=7807155-0
] [aee69d964470970370eca878fe3334cOeedD07c304223aa319dadfc912ad9e1fO2
42efOc2 124b66a6c70424 19873fbf936cOfa88 189ddSbc7690 1 bfdfb3aSbfjl
Document description:Proposed Order
Original filename:P:\Secretarial\Adams\Chapter 1 1\2006\caterbone\order 1 .pdf
Electronic document Stamp:
[STAMP bkecfStamp-ID=1008 166204 [Date=5/30/2006] [FileNumber-7807155-1
] [9dbd3a2092e240al73054d7b5c9291e84a8640f870b326bb9ed707974b2cl5122cd
3e72692af2d359dfS396c389d47fa487165dl21356ca2bb2a97f97480ab70]]
Document description:Proposed Order
Original filename:P:\Secretarial\Adarns\Chapter 1 1\2006\caterbone\order 2.pdf
Electronic document Stamp:
[STAMP bkecfStamp-lD=1008166204 [Date=5/30/2006] [FileNumber=7807155-2
] [9ae58cce6ea64652e9cae6138a05daceadcf91ec246a965e129abc8eafdeae0975b
ee5693089c111571c7cl6407240770350abc5573554d1 I 12aSa34899854~9J1
05-23059-ref Notice will be electronically mailed to:
DAVE P. ADAMS dave.p.adams@usdoj.gov
SHAWN M. LONG slong@barley.com,
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jrachor@barley.com;cbrelje@barley.com;de~s@barley.com
United States Trustee USTPRegion03.PH.ECF@usdoj.gov
05-23059-ref Notice will not be electronically mailed to:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 175 16
~ve a hb base Area
File a Notice:
05-23059-ref Stanlev J. Caterbone
U.S. Bankruptcy Court
Eastern District of Pennsylvania
Notice of Electronic Filing
The following transaction was received from ADAMS, DAVE P. entered on 513012006 at 2:51
PM EST
and filed on 5/30/2006
Case Name: Stanley J. Caterbone
Case Number: 05-23059-ref
Document Number: 61
Docket Text:
Notice of Motion to Convert Case to Chapter 7, Motion to Dismiss Case[60] Filed by United
States
Trustee. Hearing scheduled for 6/29/2006 at 11:OO AM at mad - Courtroom 1, Third Floor.
(ADAMS,
DAVE)
The following document(s) are associated with this transaction:
Document description:Main Document
Original filename:P:\SecretarialL4dams\Chapter 1 1\2006\caterbone\notice.pdf
Electronic document Stamp:
[STAMP bkecfStamp-ID=l008166204 [Date=5/30/2006] [FileNumber=7807168-0
] [13663b2ad8c6855edfc3ac25d06dl231bf960479ea01d48B39ba9a4dl05f265980
7346d022af6956f9b7f4fLafb654ae607a354dd288506d02cdccl 935a18211
05-23059-ref Notice will be electronically mailed to:
DAVE P. ADAMS dave.p.adams@usdoj.gov
SHAWN M. LONG slong@barley.com,
jrachor@barley.corn;cbrelje@barley.corn;dennis@barley.com
United States Trustee USTPRegion03.PH.ECF@usdoj.gov
05-23059-ref Notice will not be electronically mailed to:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 175 16
~e at abase Area
Miscellaneous:
05-23059-ref Stanley J. Caterbone
U.S. Bankruptcy Court
Eastern District of Pennsylvania
Notice of Electronic Filing
The following transaction was received from ADAMS, DAVE P. entered on 5/30/2006 at 2:52
PM EST
and filed on 5/30/2006
Case Name: Stanley J. Caterbone
Case Number: 05-23059-ref
Document Number: 62
Docket Text:
Certificate of Service of Motion to Convert/Dismiss andNotice Filed by DAVE P. ADAMS
on behalf of
United States Trustee (related document(s)[61], [60]). (ADAMS, DAVE)
The following docurnent(s) are associated with this transaction:
Document description:Main Document
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Original filename:P:\Secretarial\Adams\Chapter1 1 \2006\caterbone\cert.pdf
Electronic document Stamp:
[STAMP bkecfStamp-ID=1008166204 [Date=5/30/2006] [FileNumber=7807175-0
] [7dfd5bbd6674f692104d19e92d7e722ad3d14f4B~4Oeeb4Bl4a5232fc~O5Sl
796d9b428448b9b7eddb2~45lf c24a2485Oed84a45dOf021dc93 18fe5a5ecIl
05-23059-ref Notice will be electronically mailed to:
DAVE P. ADAMS dave.p.adams@usdoj.gov
SHAWN M. LONG slong@barley.com,
jracho@barley.com;cbrelje@barley.com;dennis@batley.com
United States Trustee USTF'Region03.PH.ECF@usdoj.gov
05-23059-ref Notice will not be electronically mailed to:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
1:00 PM - 1:30 PM

DJ Ballentine Comcast Cable motion for pro hav vice

LAW OFFICES OF
KNUPPK, ODAK8 IMBLUPM.C.,
CAMERON MANSION
407 NORTH FRONT STREET
POST OFFICE BOX 11848
HARRISBURG, PA 17108-1848
Telephone: 7171238-7151
Facsimile: 7171238-7158
email: kki.law@verizon.net
Robert E. Knupp
(1909-1976)
Robert H. Maurer
(1 923-1 998)
June 5,2006
DISTRICT COURT 02-2-01
KELLY S BALLENTINE ESQ
123 LOCUST STREET RR
LANCASTER PA 17602
RE: Stanley J. Caterbone
VS: Comcast Cable, eta/.
Our File No. 3-06-0136
No. CV-0000160-06, District Court 02-2-01
Lancaster County, Pennsylvania
Ladies and Gentlemen:
Enclosed is our Motion Pro Hac Vice in the above-captioned matter. Please file same in
accordance with your local Rules and Regulations and provide a time-stamped copy to the
undersigned
in the stamped, sekddressed envelope.
As always, we tiiank you for the fine se~cespr ovided by your office.
Very truly yours,
KNUPP, KODAK 8 IMBLUM, P.C.
cc STANLEY J CATERBONE
220 STONE HILL ROAD
CONESTOGA PA 17516
I A h l I QCQI A C E ECnl llRF
Robert D. Kodak
robert. kodak@venzon.net
Robert D. Kodak, Esquire
Supreme Court ID 18041
KNUPP, KODAK & IMBLUM, P.C.
Post Ofice Box 11 848
407 North Front Street
Harrisburg, Pennsylvania 17108
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717-238-7151 Fax: 717-238-7158
Robert.kodak@verizon.net
Attorney for Comcast Cable Communications, Inc.
STANLEY J CATERBONE
Plaintiff
v.
COMCAST CABLE, et al.
Defendants
* DISTRICT COURT 02-2-01
* LANCASTER COUNTY, PENNSYLVANIA
*
* CIVIL ACTION - LAW
*
* NO. CV-0000160-06
*
MOTION PRO HAC VICE
AND NOW, this LC day of June, 2006, comes Robert D. Kodak, Esquire, Knupp,
Kodak & Irnblum, P.C. counsel for Comcast Cable ("Comcast"), and moves to admit Jan I.
Berlage, Esquire, Ballard Spahr Andrews & Ingersoll, LLP, pro hac vice in this matter stating
the following:
1. Plaintiff has filed its Complaint with this Honorable Court to the above term and
number naming Comcast as a Defendant.
2. Comcast has been represented for a number of years by Jan I. Berlage, Esquire, an
attorney in the firm of Ballard Spahr Andrews & Ingersoll, LLP, having ofices at 300 E.
Lombard Street, 18" Floor, Baltimore, Maryland 21202.
DMEAST #9540388 vl
3. Mr. Berlage is a member of the Bar of the States of Connecticut, New York,
Maryland and the District of Columbia, having been admitted to practice since 1995,
1996,2002
and 2002, respectfully and is a member in good standing of those Bars.
4. Mr. Berlage has further been admitted to practice before the United States
Supreme Court, United States District Court for the Southern and Eastern Districts of New
York,
United States District Court for the District of Connecticut, United States District Court for the
District of Columbia, United States ~istricCj ourt for the District of Maryland, United States
Court of Appeals for the 2nd and 4' Circuit, District of Columbia Court of Appeals and Court of
Appeals for the District of Columbia.
5. Mr. Berlage wishes to be admitted pro hac vice in order to appear for his client in
this proceeding.
WHEREFORE, Defendants respectfully requests that this Honorable Court admit Jan I.
Berlage, Esquire pro hac vice for this matter.
Respectfully submitted,
KNUPP, KODAK & IMBLUM, P.C.
A
V
Robert D. Kodak, Esquire
Supreme court ID 18041
Post Office Box 11848
407 North Front Street
Harrisburg, Pennsylvania 17108
717-238-7151 Fax: 717-238-7158
Robert.kodakO- .verizon.net
Attomev for Plaintiff
STANLEY J CATERBONE * DISTRICT COURT 02-2-01
Plaintiff * LANCASTER COUNTY, PENNSYLVANIA *
* CIVIL ACTION - LAW *
COMCAST CABLE, et al. * NO. CV-0000160-06
Defendants *
CERTIFICATE OF SERVICE
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I, ROBERT D. KODAK, ESQUIRE, hereby certify that I have this date served a true and
correct copy of the Motion Pro Hac Vice in the above-captioned matter upon the below listed I
individual(s) by causing same to be deposited in the United States mail, fist class postage
prepaid at Hanisburg, Dauphin County, Pennsylvania, addressed as follows:
STANLEY J CATERBONE
220 STONE HILL ROAD
CONESTOGA PA 17516
KNUPP, KODAK & IMBLUM, P.C.
Robert D. Kodak 2
407 North Front Street
Post Office Box 11848
Harrisburg, PA 17108-1 848
(717) 238-7151
Attorney I.D. No. 18041
Attorney for Plaintiff
Dated: 6/d&
STANLEY .I CATERBONE * DISTRICT COURT 02-2-01
Plaintiff * LANCASTER COUNTY, PENNSYLVANIA *
v. * CIVIL ACTION - LAW *
COMCAST CABLE, et al. * NO. CV-0000160-06
Defendants *
ORDER GRANTING MOTION PRO WAC VICE
AND NOW, this day of June, 2006, upon consideration of the Motion of
Comcast Cable Communications, Inc. by its attorney, Robert D. Kodak, Esquire, it is
ORDERED that Jan I. Berlage, Esquire, Ballard, Spahr, Andrews & Ingersoll, LLP, is
admitted and can proceedpro hac vice in the captioned matter.
BY THE COURT,

June 06, 2006


Tuesday
1:00 PM - 1:30 PM

Chapter 11 - Filing Financial Reports,Informa Pauperis,

Advanced Media Group


220 Stone Hill Road
Conestoga, PA 17516
June 6, 2006
Mr. Hugh Ward
Office of the Trustee
U.S. Department of Justice
833 Chestnut Street
Suite 500
Philadelphia, PA 19107
Fax: 215.597.5795
Re: Case No. 05-23059
Enclosed are copies of submittals and filings that you apparently never received. I
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will file again and add the letters to the Honorable Judge Mary McLaughlin of the United
States District Court of the Eastern District of Pennsylvania regarding Case No. 05-2288 and
specifically addressing the reason that no plan of reorganization can take place until a
meeting is held.
This case can be similarly compared to the Asbestos Chapter 11 cases where current
litigation is imperative and material to the Chapter 11 filing.
I had also filed an Informa Pauperis regarding the payment of fees. I had personally
delivered to your office 2 different checks from a Datek Account that had sufficient funds in
January and February. You have failed to return those checks stamped non-sufficient funds.
You have personally failed to provide the proper time, management, and
responsibilities relating to your obligations regulated by the Scope of Law containing Chapter
11 statutes.
Respectfully,
Stan J. Caterbone
Cc:

Dave P. Adams
Office of U.S. Trustee
833 Chestnut Street
Philadelphia, PA 19107

www.amgglobalentertainmentgroup.com
infor@amgglobalentertainmentgroup.com
717.799.5915 Phone
717.427-1621 Fax
___________________________________________________________________________
__________________
CERTIFICATE OF SERVICE
U.S. Bankruptcy Court
Eastern District of Pennsylvania (Reading)
The Madison, Suite 300
400 Washington Street
Reading, PA 19601
Bankruptcy Petition #: 05-23059-tmt
CERTIFICATE OF SERVICE
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, PA 19516
SSN: xxx-xx-0959
Letter to Mr. Hugh Ward, Office of Trustee
January to May Financial Statements
Service To:
Mr. Hugh Ward
Department of Justice
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Office of the Trustee
833 Chestnut Street, Suite 500
Philadelphia, PA 19107
Fax: 215-597-5795
Certificates of Service were sent by electronic facsimile on June 6, 2006.
By, _____________________________
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
Amgroup01@msn.com
717-431-8184 phone
717-427-1621

1:00 PM - 1:30 PM

Fulton Bank Foreclosure Reply

126 East King Street


Lancaster, PA 17602-2893
Te1717.299.5201 Fax 717.291.4660
wwwbarley.com
Scott A. McClure, Esquire
Direct Dial Number: 717.399.4156
E-mail: smcclure@barley.com
June 6,2006
Mr. Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 195 16
Re: Fulton Bank v. Stanley J. Caterbone
Lancaster County No. CI-06-02271
Dear Mr. Caterbone:
Enclosed please find for service upon you Plaintiffs Motion for Judgment on the Pleadings
along with the Brief in Support of Plaintiffs Motion for Judgment on the Pleadings, the
originals of which have been filed with the Court this day.
Very truly yours,
Scott A. McClure
SAM/jlr:l641769-1 .DOC
Enclosures
cc: Shawn M. Long, Esquire
Lancaster . York . Harrisburg Reading. Berwyn Hanover . Chambersburg
___________________________________________________________________________
_______________________
BARLEY SNYDER LLC
Shawn M. Long, Esquire
Court I.D. No. 83774
Scott A. McClure, Esquire
Court I.D. No. 88909
126 East King Street
Lancaster, PA 17602
(717) 299-5201
FULTON BANK,
Plaint~ff
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v.
STANLEY J. CATERBONE,
Defendant
Attorneys for Plaintif
Fulton Bank
COURT OF COMMON PLEAS OF
LANCASTER COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
No. CI-06-02271
ACTION Ihl MORTGAGE FORECLOSURE
BRIEF IN SUPPORT OF PLAINTIFF'S
MOTION FOR JUDGMENT ON THE PLEADINGS
I. HISTORY OF THE CASE
On or about January 20, 1995, Defendant, Stanley J. Caterbone executed and delivered an
Adjustable Rate Note (the "Note") with an original principal sum of $1 03,000.00 to Plaintiff,
Fulton Bank ("Fulton"). The Note included interest at the interest at the initial rate of 7.125%
per annum and required Defendant to make monthly payments of principal and interest in the
initial amount of $693.93, beginning September 1, 1995 and continuing thereafter on the first
(1st) day of every month until all outstanding principal and all accrued interest was paid in
full.
The Note was secured and accompanied by a Mortgage (the "Mortgage") dated January 20,
1995, which was recorded in the Office of the Recorder of Deeds of and for Lancaster
County,
Pennsylvania, on January 24,1995 for Defendant's property located at 220 Stone Hill Road,
Township of Conestoga, Lancaster County, Pennsylvania (the "Premises").
Defendant has since fallen into default under the Note and the Mortgage for failing to
make monthly payments, which were due beginning June 1,2005 and on the first (1st) day of
each month thereafter. Fulton provided Defendant with the requisite notice under the
Pennsylvania's Homeowner's Emergency Mortgage Assistance Act of 1983 by Certified Mail,
Return Receipt Requested on August 16,2005. Based on Defendant's default and his failure
to
cure such default, on March 8,2006, Fulton filed a Complaint in mortgage foreclosure on the
Premises under the terms of the Mortgage. On or about May 8,2006, Defendant filed an
Answer
to Fulton's Complaint ("Answer").
In his Answer, Defendant did not specifically deny any of the allegations in the
Complaint. Kather, Defendant baldly asserted that:
(1) Pursuant to the ORDER of United States District Court Judge
of Anita B. Brody on the 24th of April, 2006; the Defendant
requests the Court of Common Pleas of LANCASTER COUNTY
to stay the forecloswe proceedings until the Appeal Civil Action
No. 06-1538 is properly and sufficiently adjucated in the Federal
Courts; (2) Pursuant to the ORDER of the United States District
Court Judge of Mary M. McLaughlin on the 1 lth day of April,
2006 for a Continuance of the Civil Action No. 05-2288; the
Defendant requests Court of Common Pleas of LANCASTER
COUNTY to stay the foreclosure proceedings until the Civil
Action No. 05-0288 is properly and sufficiently adjucated in the
Federal Courts. Fulton Bank is a DEFENDANT in this Civil
Action. (3). DEFENDANT will prove that FULTON Bank has
been involved with obstructing the due process of his efforts to
continue his civil actions against the PLAINTIFF FULTON
BANK in Federal Courts.
That Defendant has defaulted under the Note and Mortgage, and has failed to cure such
default,
/
No. CI-06-02271
is undisputed. As demonstrated by Defendant's failure to specifically deny any of the
allegations
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in the Complaint, under Pa.R.C.P. 1029, Defendant's statements in the Answer constitute
admissions for purposes of this Motion. As such, there are no issues of material fact in this
case
and Fulton is entitled to judgment as a matter of law. The Authority has therefore filed a
Motion
for Judgment on the Pleadings and this Brief is in support of that Motion.
11. QUESTIONS PRESENTED
A. WHETHER PLAINTIFF IS ENTITLED TO JUDGMENT ON THE
PLEADINGS BASED ON DEFENDANT'S ADMISSIONS TO ALL OF
THE ALLEGATIONS IN PLAINTIFF'S COMPLAINT.
Answered in the AFFIRMATIVE by Plaintiff.
111. ARGUMENT
A. PLAINTIFF IS ENTITLED TO JUDGMENT ON TIIE PLEADINGS DUE TO THE
ADMISSIONS MADE BY DEFENDANT IN HIS ANSWER TO THE COMPLAINT.
A motion for judgment on the pleadings may summarily dispose of a case only when
there exits no genuine issue of fact and the moving party is entitled to judgment as a matter
of
law. Casner v. American Federation of State. County and Mun. Employees, 658 A.2d 865
(1995). A motion for judgment on the pleadings may be granted in cases which are so free
from
doubt that a trial would clearly be a fruitless exercise; such a motion is in the nature of a
demurrer, and all of the opposing party's well-pleaded allegations are viewed as true but only
those facts specifically admitted by him may be considered against him. Gallo v. J.C.
Pennev Cas. Ins. Co., 328 Pa. Super. 267,476 A.2d 1322 (1984). In conducting its inquiry on
a
motion for judgment on the pleadings, the court should confine itself to pleadings themselves
i I and any documents or exhibits properly attached to them. Hammerstein v. Lindsay, 440
Pa.
Super. 350,655 A.2d 597 (1995).
Defendant has admitted all of Fulton's allegations in the Complaint regarding his
execution and delivery of the Note and Mortgage to Fulton and all obligations specified
therein,
his subsequent default under the Note and Mortgage, his refusal to remit all outstanding
payments under the Note to Fulton, and resulting liability to the same. In his Answer,
Defendant
was obligated, under Pa.R.C.P. 1029(a), to admit or deny each averment of fact in the
Complaint
and refer specifically to each paragraph in the Complaint in which an averment is set forth.
Defendant's incoherent statements in his Answer do not specifically deny any of the
averments
in the Complaint. Under Rule 1029(b), any averment that is not specifically denied is deemed
admitted. The statements in Defendant's Answer also do not correspond to the numbered
paragraphs in the Complaint. Defendant has therefore admitted all of the averments in the
Complaint entitling Fulton to relief.
The fact that the Defendant is apro se litigant in this case does not undermine his failure
to comply with Pa.R.C.P. 1029. It is well-established under Pennsylvania law that the inherent
entitlement of self-representation is not an absolute right for a defendant to proceed as he or
she
sees fit. Commonwealth v. Abu-Jamal, 521 Pa. 188,201,555 A.2d 846,852 (1989).
Rather, apro se defendant is subject to the same rules of procedure as a represented
defendant.
-Se-e I d. Here, the fact that Defendant is apro se litigant confers him no special benefit. To
the
contrary, "any person choosing to represent himself in the legal proceeding must, to a
reasonable
extent, assume that his lack of experience and legal training will be his undoing." See
Commonwealth v. Adarns, 882 A.2d 496,498 (2005).
Defendant's admissions demonstrate that he is in default under the Note and Mortgage,
has failed to remedy the same, and is therefore liable to Fulton for the outstanding principal
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balance under the Note and Mortgage, as well as all outstanding interest, the negative escrow
balance, late charges, and attorneys' fees, which have been set forth in the Complaint. Thus,
under Pa.R.C.P. 1034(a), judgment on the pleadings in favor of Fulton is appropriate in this
matter.
IV. CONCLUSION
Even viewing all of Defendant's well-pleaded allegations in his Answer as true and
considering against him those facts admitted, a trial of this case would be a fruitless exercise.
There are no issues of material fact and, based on Defendant's admissions made in his
Answer to
the Complaint, Fulton is entitled to judgment as a matter of law. Therefore, Plaintiff, Fulton
Bank respectfully requests that judgment in this foreclosure action be entered in its favor and
against Defendant and that judgment be entered in favor of Plaintiff and against Defendant,
Stanley J. Caterbone in the amount of $97,425.07, plus continuing interest after March
2,2006 at
a rate of $14.56 per diem, plus continuing late charges and costs.
BARLEY SNYDER LLC
By: &&&Shawn M. Long, Esquire
Court I.D. No. 83774
Scott A. McClure, Esquire
Court I.D. No. 88909
Attorneys for Plaintiff, Fulton Bank
126 East King Street
Lancaster, PA 17602-2893
(717) 299-5201
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing Brief in Support of
Plaintiffs Motion for Judgment on the Pleadings was sewed this 6th day of June, 2006, by
firstclass
mail, postage prepaid, upon:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 195 16
BARLEY SNYDER LLC
By:
Shawn M. Long, Esquire
Court I.D. No. 83774
Scott A. McClure, Esquire
Court I.D. No. 88909
Attorneys for Plaintiff, Fulton Bank
126 East King Street
Lancaster, PA 17602-2893
(717) 299-5201
ORDER
AND, NOW this day of ,2006, upon consideration of
Plaintiffs Motion for Judgment on the Pleadings, as well as Defendant's response thereto, it is
BARLEY SNYDER LLC
Shawn M. Long, Esquire
Court I.D. No. 83774
Scott A. McClure, Esquire
Court I.D. No. 88909
126 East King Street
Lancaster, PA 17602 Attorneys for Plaintiff
(717) 299-5201 Fulfon Bank
hereby ORDERED AND DECREED that said Motion is granted. Accordingly, judgment shall
FULTON BANK,
Plaintiff
v.
STANLEY J. CATERBONE,
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Defendant
be entered in Plaintiffs favor and against Defendant in the amount of $97,425.07, plus
COURT OF COMMON PLEAS OF
LANCASTER COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
NO. CI-06-02271
ACTION IN MORTGAGE FORECLOSURE
continuing interest after March 2,2006 at a rate of $14.56 per diem, plus continuing late
charges
and costs.
BY THE COURT:
PLAINTIFF'S MOTION FOR JUDGMENT ON THE PLEADINGS
Plaintiff, Fulton Bank ("Fulton"), by and through its undersigned counsel, moves for
judgment on the pleadings in its favor and against Defendant, Stanley J. Caterbone
("Defendant"), pursuant to Pa.R.C.P. 1034, and in support thereof avers as follows:
1. Fulton is a Pennsylvania Banking Corporation having an office at One Penn
Square, P. 0. Box 4887, Lancaster, Pennsylvania 17604.
2. Defendant is an adult individual with a last known address of 220 Stone Hill
Road, Conestoga, Pennsylvania 19516 (the "Premises").
3. This mortgage foreclosure action arises out of Defendant's default under an
Adjustable Rate Note (the "Note") in the original principal sum of $103,000.00, as well as an
accompanying Mortgage (the "Mortgage") dated January 20, 1996 on the Premises as a
result of
BARLEY SNYDER LLC
Shawn M. Long, Esquire
Court 1.D. No. 83774
Scott A. McClure, Esquire
Court I.D. No. 88909
126 East King Street
Lancaster, PA 17602 Attorneys for Plaint@
(717) 299-5201 Fulton Bank
Defendant's failure to make monthly payments of principal and interest under the Note.
FULTON BANK,
Plaintiff
v.
STANLEY J. CATERBONE,
Defendant
COURT OF COMMON PLEAS OF
LANCASTER COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
NO. CI-06-02271
ACTION IN MORTGAGE FORECLOSURE
4. On March 8,2006, Fulton filed a Complaint in mortgage foreclosure on the
Premises under the terms of the Mortgage. A true and correct copy of the Complaint, as well
as
all accompanying exhibits to the Complaint, are attached hereto as Exhibit A and
incorporated
herein by reference.
5. On or about May 8,2006, Defendant purported to file an Answer to the
Complaint ("Answer"). A true and correct copy of Defendant's Answer is attached hereto as
Exhibit B and incorporated herein by reference.
6. Under Pa.R.C.P. 1034(a), the pleadings in this action are closed.
7. The Complaint properly avers that Defendant executed and delivered to Fulton
the Note and accompanying Mortgage, and Defendant's subsequent default under these
instruments for failure to make monthly payments due, which were due beginning on June 1,
2005 and on the first (I st) day of each month thereafter.
8. The Complaint properly avers that Fulton issued the requisite notice to Defendant
under the Pennsylvania Homeowner's Emergency Mortgage Assistance Act of 1983.
9. The Complaint properly sets forth a specific accounting of Defendant's default
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including principal, accrued interest, late charges, and all other charges, including reasonable
attorneys' fees, which immediately became due and payable upon Defendant's default.
10. In his Answer to the Complaint, Defendant stated the following:
"1. Pursuant to the ORDER of United States District Court Judge of
Anita B. Brody on the 24th of April, 2006; the Defendant requests the Court of
Common Pleas of LANCASTER COUNTY to stay the foreclosure proceedings
until the Appeal Civil Action No. 06-1538 is properly and sufficiently adjucated
in the Federal Courts;
2. Pursuant to the ORDER of the United States District Court Judge
No. CI-06-02271
of Mary M. McLaughlin on the 1 lth day of April, 2006 for a Continuance of the
Civil Action No. 05-2288; the Defendant requests Court of Common Pleas of
LANCASTER COUNTY to stay the foreclosure proceedings until the Civil
Action No. 05-0288 is properly and sufficiently adjucated in the Federal Courts.
Fulton Bank is a DEFENDANT in this Civil Action.
3. DEFENDANT will prove that FULTON Bank has been involved
with obstructing the due process of his efforts to continue his civil actions against
the PLAINTIFF FULTON BANK in Federal Courts."
11. Under Pa.R.C.P. 1029(a), "A responsive pleading shall admit or deny each
averment of fact in the preceding pleading or any part thereof to which it is responsive.
Admissions and denials in a responsive pleading shall refer specifically to the paragraph in
which the averment admitted or denied is set forth."
12. Under Pa.R.C.P. 1029(b), "Averments in a pleading to which a responsive
pleading is required are admitted when not denied specifically or by necessary implication. A
general denial or a demand for proof.. .shall have the effect of an admission."
13. Defendant's responses in his Answer, as recited in 710 above, can only be
characterized, at best, as general denials, which, under Pa.R.C.P. 1029@), constitute
admissions
for purposes of the Motion before this Court.
14. Defendant has admitted all of the averments in Fulton's Complaint.
15. The allegations in the Complaint, all of which Defendant has admitted,
demonstrate that Defendant has defaulted under the Note and Mortgage, and, as of March 2,
2006, the amount due on the Note and the Mortgage is as follows:
Principal Balance .................................................................. $88,568.53
Interest through 03/02/06
atarateof$l4,56perdiem ............................................. 4,442.96
Negative Escrow Balance ......................................................... 1,096.38
Late Charges ......................................................................... 3 17.20
Attomcys' Fees ........................................................................ .3,000.00
Total ...................................................................................... $97,425.07
plus continuing interest after March 2,2006 at a rate of $14.56 per diem, plus continuing late
charges and costs.
16. Because Defendant has admitted all of the averments in the Complaint, there are
no disputed issues of material fact in this case, and Fulton is entitled to judgment as a matter
of
law.
WHEREFORE, Plaintiff, Fulton Bank respectfully requests that judgment be entered in
its favor and against Defendant, Stanley J. Caterbone in the amount of $97,425.07, plus
continuing interest after March 2,2006 at a rate of $14.56 per diem, plus continuing late
charges
and costs.
BARLEY SNYDER LLC
By: -d&wgdShawn M. Long, Esquire
Court I.D. No. 83774
Scott A. McClure, Esquire
Court I.D. No. 88909
Attorneys for Plaintiff, Fulton Bank
126 East King Street
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Lancaster, PA 17602-2893
(717) 299-5201
EXHIBIT A
i "- ,..-,
BARLEY SNYDER, LLC -8 i;;1:: I ! :
I - -'
Shawn M. Long, Esquire i-~.- ,:.. ~ ... .,. ' . , ~ , !:r ,-,! . ~ .
Court I.D. No. 83774 I . . ~ -. - - IL; <..., ~,.LS .. ~ . . , ,,~,.
126 East King Street
Laneaster, PA 17602 Attorneys for Plaintiff
(717) 299-5201 Fulron Bank
I
FULTON BANK,
Plaintrff
V.
NOTICE TO DEFEND
Pursuant to PA RCP No. 101 8.1
COURT OF COMMON PLEAS OF
LANCASTER COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
STANLEY J. CATERBONE,
Defendant
YOU HAVE BEEN SUED IN COURT. If you wish to defend against the claims set
forth in the following pages, you must take action within twenty (20) days after this Complaint
and Notice are served, by entering a written appearance personally or by attorney and filing in
writing with the Court your defenses or objections to the claims set forth against you. You are
warned that if you fail to do so the case may proceed without you and a judgment may be
entered
against you by the Court without further notice to you for any money claimed in the Complaint
or for any other claim or relief requested by Plaintiff(s). You may lose money or property or
No. k0k-0~3721
ACTION IN MORTGAGE FORECLOSURE
other rights important to you.
YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO
NOT HAVE A LA- GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW.
THIS OFFICE CAN PROVIDE YOU WITH INFORMATION ABOUT HIIUNG A LAWYER.
IF YOU CANNOT AFFORD TO HIRE A LAWYER, THIS OFFICE MAY BE ABLE
TO PROVIDE YOU WTTH INFORMATION ABOUT AGENCIES THAT MAY OFFER
LEGAL SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE.
District Court Administrator
Lancaster County Courthouse
50 North Duke Street
P.O. Box 3480
Lancaster, Pennsylvania 17603-1881
Telephone: (717) 299-8041
Effective September 1,2003
BARLEY SNYDER, LLC
Shawn M. Lopg, Esquire
Court I.D. No. 83774
126 East King Street
Lancaster, PA 17602 Attorntys for Plaint~jf
(717) 299-5201 Fulton Bank
I
FULTON BANK,
Plaint~T
V.
I ACTION IN MORTGAGE FORECLOSURE
COURT OF COMMON PLEAS OF
LANCASTER COUNTY, PENNSYLVANIA
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CIVIL ACTION - LAW
STANLEY J. CATERBONE,
Defendant
AVISO PARA DEFENDER
Conforme a RCP No. 1018,l del PA
No. A- ' LE HAN DEMANDADO EN CORTE. Si usted desea defender contra las
demandas dispuestas en las piginas siguientes, usted debe tomar la accihn en el plazo de
veinte
(20) dias despuk de esta queja y el aviso es servido, incorporando un aspect0 escrito
personalmcnte o por el abogado y archivando en escribir con la code sus defensas u
objeciones a
las demandas dispuestas contra usted. Le advierten que si usted no puede hacer asi que el
caso
puede proceder sin usted y un juicio se puede incorporar contra nsted por la corte sin aviso
adicional a usted para cualquier dinero demandado en la queja o para cualquier otra
demanda o
relevacih pedida por Plaintiws). Usted puede perder el din&o o la caracteristica u otra
endimportante
a usted.
USTED DEBE LLEVAR ESTE PAPEL SU ABOGADO INMEDIATAMENTE. SI
USTED NO TIENE Un ABOGADO, VAYA A 0 LLAME POR TEL~FONOL a OHCINA
DISPUESTA ABAJO. ESTA OFICINA PUEDE PROVEER De USTED La INFORMACION
SOBRE EMPLEAR A un ABOGADO.
SI USTED NO PUEDE PERMITBSE AL HIRE A un ABOGADO, ESTA OFICINA
PUEDE PODER PROVEER DE USTED LA INFORMACION SOBRE LAS AGENCIAS QUE
LOS SERVICIOS JUR~ICOSd e la OFERTA de MAY0 A LAS PERSONAS ELEGIBLES
EN Un HONORARIO REDUCIDO 0 N I N G H~O NORARIO
Administrador De la Corte De District0
Palacio de justicia Del Condado De Lancaster
Duque Del Node 50 Street de P.O. Box 3480
Lancaster, Pennsylvania 17603-1 881
Telkfono: (717) 299-8041
Efectivo 1 de Septiembre, 2003 Queja
BARLEY SNYDER, LLC
Shawn M. Long, Esquire
Court I.D. NO. 83774
126 East King Street
Lancaster, PA 17602
(717) 299-5201
ljULTON BANK,
Plaintiff
v.
STANLEY J. CATERBONE,
Defendant
...- , . ~ yo it::-:8< b ;; I!: c;,
Artorneys for Plaintiff
Fulton Bank
COURT OF COMMON PLEAS OF
LANCASTER COUNTY, PENNSYLVANIA
ClVE ACTION -LAW
No. a-do -oM7/
ACTION IN MORTGAGE FORECLOSURE
COMPLAINT
1. Plaintiff, Fulton Bank ("Fulton") is a Pennsylvania Banking Corporation having
an office at One Penn Square, P. 0. Box 4887, Lancaster, Pennsylvania 17604.
2. Defendant, Stanley J. Caterbone is an adult individual with a last known address
of 220 Stone Hill Road, Conestoga, Pennsylvania 19516.
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3. On or about January 20,1995, Defendant executed and delivered to Fulton a
Adjustable Rate Note (the "Note") in the original principal sum of $ t 03,000.00. A true and
comect copy of the Note is attached hereto as Exhibit "A" and incorporated by reference.
4. The Note carries interest at the initial rate of 7.125% per annum and requires
Defendant to make monthly payments of principal and interest in the initial amount of
$693.93,
beginning September 1, 1995 and continuing thereafter on thc first (1'') day of every month
until
all outstanding principal and all accrued interest are paid in full.
5. The Note requires Defendant to pay a late charge of five percent (5%) of the
overdue payment of principal and interest when Fulton does not receive Defendant's monthly
payment within fifteen (1 5) days of the date that the payment is due.
6. The Note is sccured and accompanied by a Mortgage (the 'Mortgage") dated
January 20,1995 and recorded in the Oflice of the Recorder of Deeds of and for Lancaster
County, Pennsylvania, on January 24,1995, on Defendant's property being located at 220
Stone
Hill Road &a Lot #5 Stone Hill Road, Township of Conestoga, Lancaster County,
Pennsylvania
(the 'Premises"). A true and correct copy ofthe Mortgage which contains the complete
description of the Premises, is attached hereto as Exhibit "B" and incorporated by reference.
7. Defendant is in defauit under the Note and the Mortgage for faillne to make
monthly payments which were due beginning June 1,2005 and on the first (1%) day of each
month thereafter.
8. Notice as required by the Homeowner's Emergency Mortgage Assistance Act of
1983 Pennsylvania Act 91) was sent to Defendant by Certified Mail, Return Receipt
Requested
on August 16, 2005. A true and correct wpy of this notice is attached hereto as Exhibit "C"
and
incorporated by reference.
9. Pursuant to the Note, in the event of Default, Fulton may, and hereby does,
declare all amounts owed under the Note, including principal, accrued interest, late charges,
and
all other charges, including reasonable attorneys' fees, to be immediately due and payable.
10. Pursuant to the Note, in the event of Default, Fulton is entitled to be reimbursed
for all costs and expenses, including reasonable attorneys' fees incurred in bringing any
action to
enforce the Note.
1 I. For purposes of this action, Fulton believes, and therefore avers, that $3,000.00
constitutes reasonable attorneys' fees for enforcing the Note. However, Fulton recognizes that
it
is restricted by law to those attomeys' fees that are actually incmed. If those fees arc less
than
$3,000.00 Fulton agrees to adjust its demand for attorneys' fees, if applicable, at the time
payment on any judgment is made.
6. The Note is secured and accompamed by a Mortgage (the "Mortgage') dated
January 20,1995 and recorded in the Office of thc Recorder of Dccds of and for Lancaster
County, Pennsylvania, on January 24, 1995, on Defendant's property being located at 220
Stone
Hill Road alkla Lot #5 Stone Hill Road, Township of Conestoga, Lancaster County,
Pennsylvania
(the "Premises"). A true and correct copy of the Mortgage which contains the complete
description of the Premises, is attached hereto as Exhibit "B and incorporated by reference.
7. Defendant is in default under the Note and the Mortgage for faihue to make
monthly payments which were due beginning June 1,2005 and on the first (14 day of each
month thereafter.
8. Notice as required by the Homeowner's Emergency Mortgage Assistance Act of
1983 (Pennsylvania Act 91) was sent to Defendant by Certified Mail, Return Receipt
Requested
on August 16,2005. A true and correct copy of this notice is attached hereto as Exhibit "C"
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and
incorporated by reference.
9. Pursuant to the Note, in the event of Default, Fulton may, and hereby does,
declare all amounts owed under the Note, including principal, accrued interest, late charges,
and
all other charges, including reasonable attorneys' fees, to be immediately due and payable.
10. Pursuant to the Note, in the event of Default, Fulton is entitled to be reimbursed
for all costs and expenses, including reasonable attorneys' fees incurred in bringing any
action to
enforce the Note.
1 1. For purposes of this action, Fulton believes, and therefore avers, that $3,000.00
constitutes reasonable attorneys' fees for enforcing the Note. However, Fulton recognizes that
it
is restricted by law to those attorneys' fees that are actually incurred. If those fees are less
than
$3,000.00 Fulton agrees to adjust its demand for attorneys' fees, if applicable, at the time
payment on any judgment is made.
12. As of March 2,2006, the amount due on the Note and the Mortgage is as follows:
. . Pnnclpal Balance .................................................................. $88,568.53
Interest through 03/02/06
at a rate of $14.56 per diem ............................................. 4,442.96
Negative Escrow Balance ...................................................... 1,096.38
Latc Charges ......................................................................... 317.20
Attorneys' Pees ......................................................................... 3.000.00
Total ...................................................................................... $97,425.07
plus continuing interest after March 2,2006 at a rate of $14.56 per diem, plus continuing
late charges and costs.
13. Fulton has demanded payment of the amount owed kom Defendant but
Defendant has failed andor has refused to pay the same.
14. E'ursuant to the Fair Debt Collection Practices Act, 15 U.S.C. 4 1692 et seq.,
Defendant may dispute the validity of the debt or any portion thereof. If Defendant does so in
writing within thirty (30) days of receipt of this pleading, Counsel for Plaintiff will obtain and
provide Defendant with written verification thereot otherwise, the debt will be assumed to be
valid. Likewise, if requested within thirty (30) days of receipt of this pleading, Counsel for
Plaintiff will send Defendant the name and address of the original creditor if different fiom the
above.
WHEREFORE, Plaintiff, Fulton Bank demands judgment in mortgage foreclosure
against Defendant, Stanley J. Caterbone in the amount of $97,425.07, plus continuing
interest
after March 2,2006 at a rate of $14.56 per diem, plus continuing late charges and costs.
Date:
Court I.D. No. 83774
126 East King Street
Lancaster, PA 17602
(717) 299-5201
VERIFICATION
hlton Bank
VS.
Stanley J. Caterbone
I, Christopher L. Demko, being duly affirmed according to law, depose and say that I am
Vice President for Fulton Bank, that I am authorized to make this Verification on its behalf
and
that the facts set forth in the foregoing Complaint are true and correct to the best of my
knowledge, information, and belief.
To the extent that any of the averments in the foregoing document are based upon the
understanding or application of law, I have relied upon counsel in making this Verification.
This Verification is made subject to the penalties of 18 Pa. C.S.A. $4904, relating to
unswom falsification to authorities.
Dated: 312484 /LAChristopher
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L. Demko .
EXHIBIT B
COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
LANCASTER COUNTY
CIVIL ACTION
FULTON BANK,
Plaintiff
v.
STANLEY J. CATERBONE
Defendant
CIVIL ACTION
NO. Cl-06-02271
STATE OF PENNSYLVANIA
COUNTY OF LANCASTER
COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
LANCASTER COUNTY
ANSWER TO COMPLAINT
1. Pursuant to the ORDER of United States District Court Judge of Anita B.
Brodv on the 24m of Aoril. 2006: the Defendant reauests the Court of
Comkon Pleas of LA~CASTERC OUNTY to stay ihe foreclosure
proceedings until the Appeal Civil Action No. 06-1538 is properly and
sufficiently adjucated in the Federal Courts.
2. Pursuant to the ORDER of the United States District Court Judge of Mary
M. McLaughlin on the Il mday of April, 2006 for a Continuance of the Civil
Action No. 05-2288; the Defendant requests Court of Common Pleas of L
ANCASTER COUNTY to stay the foreclosure proceedings until the Civil
Action No. 05-0288 is properly and sufficiently adjucated in the Federal
Courts. Fulton Bank is a DEFENDANT in this Civil Action.
3. DEFENDANT will prove that FULTON Bank has been involved with
obstructing the due process of his efforts to continue his civil actions
against the PLAINTIFF FULTON BANK in Federal Courts.
COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
LANCASTER COUNTY
CERTIFICATE OF SERVICE
Stanley J. Caterbone represented by Stanley J, Caterbone
220 Stone Hill Road PRO SE .
Conestoga, PA 19516
Service To:
Shawn M. Long. Esquire
Attorneys for Plaintiff
Fulton Bank
Court ID No. 83774
126 East King Street
Lancaster, PA 17602
Certificates of Service were sent by United St
terbone. Debtor
220 Stone Hill Road
Conestoga, PA 17516
71 7-431 -81 84
71 7-427-1 621 Fax
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing Plaintiffs Motion for
Judgment on the Pleadings was served this 6th day of June, 2006, by first-class mail, postage
prepaid, upon:
Stanley J. Caterbone
220 Stone Hill Road
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Conestoga, PA 195 16
BAR1,EY SNYDER LLC
By:
Court I.D. No. 83774
Scott A. McClure, Esquire
Court I.D. No. 88909
Attorneys for Plaintiff, Fulton Bank
126 East King Street
Lancaster, PA 17602-2893
(717) 299-5201

2:00 PM - 2:30 PM

Appeal for Food Stamps -- 2330 Vartan Way, 2nd Floor, Harrisburg, PA 17110

Bur of ~earings-~ppeals
2330 Vartan Way
Second Floor
Harrisburg PA 171 10-9946
COMMONWEALTH OF PENNSYLVANIA
DEPARTMENT OF PUBLIC WELFARE
Bureau of Hearings & Appeals
Phone: (7 1 7) 783-3950
NOTICE OF HEARING DATE AND TIME ax: (71 7) 772-2769
Date May 23.2006
Stan J. Caterbone
220 Stone Hill Road
Conestoga PA 17516
Appellant Name and Address:
Stan J. Caterbone
220 Stone Hill Road
Conestoga PA 17516
Case No: 360234927-00 1
RE: PA/FS 162 1 4/26/06 67727927
PA/MA 162 4/26/06 67728027
Dear Mr. Caterbone:
This acknowledges your request for a fair hearing from a decision by
the
Lancaster CAO concerning FoodStamp Denial: Interview/Appointment.
- - . .
A face-to-face hearing has been scheduled for you. Your hearing will
be conducted at the date, time and location below. Please notify this
office immediately if you want to change to a telephone hearing. We
can call you at a number that you provide or you can use the
telephone at your CAO.

June 07, 2006


Wednesday
9:00 AM - 9:30 AM

Food Stamp Agreement from Appeal Hearing

JUN. 7. 2 0 0 6 7 : 5 4 A M LANCASTER- -C AOr .7-.1.-7- ..2. 9 9- . 7 5-6..,5IS YLVANIA


...... . NO. 0 7 4 P. 1
DEPARTMENT OF PUBLIC WELFARE
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LANCASTER COUNTY ASSISTMCE OFFICE
832 Manor Street
P.0. Box 4967 I
Lancaster, Pennsylvania 17604-4967
June 7,2006

Mr. Stan J. Caterbone,


Per Administrative Law Judge Scott Staller's stipulation, the following information is due
before 6120106 in the Lanmter County Assistance Office:
Verification of your income or lack them35 to show how you have been
supporting yourself since 2003 without income. This would include the
bankruptcy verification, loans against your credit cards, etc.
A copy of a photo identification.
Current bank statements or verification the accounts are closed.
Utility bills
Mortgage payments in the form of a mortgage book or receipts showing your
monthly payment.
The PA 600 application form you took with you at your last interview.
If you have any questions or concerns, please contact Mrs. Rychalsky, Income
Maintenance Casework Supervisor, at the Lancaster County Assistance Office at (717:)
299-7487. Mrs. Rychalsky will be banding any further issues regarding this appeal.
Thank you.
Amy Montgomery
Income Maintenance Casework Supwvisor
Lancaster County Assistance Office

1:00 PM - 1:30 PM

Fulton Bank's Response to Plaintiffs Motion for Ex Parte Meeting

126 East King Street


Lancaster, PA 17602-2893
Tel717.299.5201 Fax 717.291.4660
www.barley.com
Stephanie Carfley, Esquire
Djrect Dial Number: 717.399.1 536
E-mail: scnrfley@barIey.com
June 5,2006
Stanley J. Caterbone
220 Stone Hill Road
Conestoga. PA 175 16
Re: Stanley J. Caterbone v. Fulton Bank, et al.
Dear Mr. Caterbone:
Enclosed please find a copy of Defendant Fulton Bank's Response to Plaintiffs Motion
for Ex Parte Meeting with the Honorable Mary A. McLaughlin, the original of which has been
electronically filed this date.
Very truly yours,
.,
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Stephanie Carfley
sckat:1641517.1
Enclosure
cc: George M. Gowen, 111, Esquire
George T. Brubaker, Esquire, Esquire
Howard L. Kelin, Esquire
Michael Donahue, Stone Harbor Police Department
Stephen Basse, Esquire
Lancaster York . Harrisburg. Reading Berwyn Hanover Chambersburg
Responses and Replies
-2 :05cv-02288-MAM CATERBONE v. LANCASTER COUNTY PRISON et al CASE
CLOSED on
0411 212006
United States District Court
Eastern District of Pennsylvania
Notice of Electronic Filing
The following transaction was received from CARFLEY, STEPHANIE entered on 6/5/2006 at
3:11 PM EDT and
filed on 6/5/2006
Case Name: CATERBONE v. LANCASTER COUNTY PRISON et a1
Case Number: 2:05-cv-2288
Filer: FULTON BANK
WARNING: CASE CLOSED on 04/12/2006
Document Number: 28
Docket Text:
RESPONSE to Motion re [26] MOTION for Ex Parte Meeting filed by FULTON BANK.
(Attachments: # (1) Text
of Proposcd Ordcr)(CARFLEY, STEPHANIE)
The following docurnent(s) are associated with this transaction:
Document description:Main Document
Original filename:n/a
Electronic document Stamp:
[STAMP dcecfStamp-ID=li)01600548 [Date=6/5/2006] [FileNumber=2063847-01
195996be18e5e6cfb8dcd262aOf4819aclfeOdb7d7530537f5 1821 f83bdd5ee97c05f
5~104138 b9ce787bc68ca37a750017840cf341c9975fa7e158aecfa60646]]
Document description:Text of Proposed Order
Original fi1ename:da
Electronic document Stamp:
[STAMP dcecfStamp~ID=1001600548[D ate=6/5/2006] [FileNumber=2063847-11
[37c32dc2559022e2fOfdc8a68473b24c67c053291fdc1dd628756b3alcb2359457al
2ecOe2593c53000~a8452347f40953Oba5533664f873d4a3a24b71ala466]]
2:05-cv-2288 Notice will be electronically mailed to:
PATRIClA BAXTER pbaxter@smsm.com, kliebers@smsm.com
STEPHANIE CARFLEY scarfley@barley.com, kgamer@barley.com; tranck@barley.com;
eastemdistrict@barley .com
GEORGE M. GOWEN, 111 ggowen@cozen.com
WALTER H. SWAYZE ,111 pswayze@smsm.com, pafilings@smsm.com
CHRISTOPHER S. UNDERHILL chrisu@hublaw.com,
___________________________________________________________________________
___________________________
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff
LANCASTER COUNTY PRISON, MANHEIM
TOWNSHIP POLICE DEPARTMENT, STONE
HARBOR POLICE DEPARTMENT, AVALON
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POLICE DEPARTMENT, COMMONWEAT.TH
NATIONAL BANK (LC. MELLON BANK),
SOUTHERN REGIONAL POLICE
DEPARTMENT, LANCASTER COUNTY
SHERIFFS DEPARTMENT, FULTON BANK
Defendant
JURY TRIAL DEMANDED
AND NOW, this - day of ,2006, upon consideration of Plaintiffs Motion for Ex Parte Meeting
with the Honorable Mary A. McLaughlin, and Fulton Bank's response thereto, it is hereby
ORDERED AND DECREED that the Motion is DENIED.
BY THE COURT:
Mary A. McLaughlin, J.
___________________________________________________________________________
____________________
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff
No. 05-CV-2288
v.
I.ANCASTER COUNTY PRISON, MANHEIM :
TOWNSHIP POLICE DEPARTMENT, STONE :
HARBOR POLICE DEPARTMENT, AVALON : JURY TRIAL DEMANDED
POLICE DEPARTMENT, COMMONWEALTH :
NATIONAL BANK (i.e. MELLON BANK),
SOUTHERN REGIONAL POLICE
DEPARTMENT, LANCASTER comm
SHERIFFS DEPARTMENT, FULTON BANK :
Defendant
DEFENDANT FULTON BANK'S RESPONSE TO PLAINTIFF'S MOTION FOR
EX PARTE MEETING WITH THE HONORABLE MARY A. MeLAUGHLIN
Defendant, Fulton Bank, by and through its attorneys, Barley Snyder, LLC,herehy files the
following Response in opposition to Plaintiffs Motion for Ex Parte Meeting with the Honorable
Mary A. McLaughlin:
On or about June 2,2006, Plaintiff filed a Motion requesting an ex parte meeting with
the Honorable Mary A. McLaughlin "to discuss the problems of preceding,this action without
obstruction of justice; and to amend the original complaint as discussed previously." See
Plaintiffs Motion. However, Plaintiff provides no justification whatsoever for his request for an
ex parte meeting with the Court. Rather, Plaintiff apparently labors under the false
assumption that by proceeding pro se he is absolved of all responsibility to comply with the
rules. Such is not the case. The fact that Plaintiff
decided to be his own lawyer does not excuse him from following the rules of civil procedure
or entitle him to any particular advantage for lack of legal training. "The right of selfrepresentation is not a license to abuse the dignity of the courtroom. Neither is it a license not
to comply with relevant rules of procedural and substantive law." Faretta v. California, 422
U.S. 806,834 n. 46,95 S.Ct. 2525,2541 n. 46,45 L.Ed.2d 562 (1975).
In the instant case, Plaintiff has no greater right to be heard than he would have if he were
represented by counsel. As a pro se litigant, Plaintiff, in essence, stands in the place of an
attorney. Plaintiffs request for an ex parte meeting with the Court in this case violates Rule
3.5(a) of the Rules of Professional Conduct because it is clear that Plaintiff seeks to influence
the Court with his version of events, without providing defense counsel any opportunity to
respond.' Since an ex parte meeting with the Court would violate the Rules of Professional
Conduct and provide Plaintiff an unfair advantage over Defendants, Plaintiffs request for
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such a meeting should be refused.
WHEREFORE, Defendant Fulton Bank respectfully requests that Plaintiffs Motion for Ex
Parte Meeting with the Honorable Mary A. McLaughlin be denied.
Respectfully submitted,
BARLEY SNYDER, LLC
Dated: June 5.2006 By: Is/ Stephanie C d e v
Stephanie Carfley, Esquire
Attorneys for Defendant Fulton Bank
126 East King Street
Lancaster, PA 17602-2893
(717) 299-5201
Court I.D. No. 79136
' Plaintiff has also violated Local Rule 7.l(c) by failing to respond to the Motions to
Dismiss filed by Fulton Bank and several co-defendants in a timely manner. To date,
despite the passage of almost 4months since the filing of Fulton's Motion to Dismiss,
Plaintiff has still failed to respond in any way to this Motion. Accordingly, Fulton's
Motion should be granted as uncontested.
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing Response to Motion for Ex
Parte Meeting has been served this 5th day of June ,2006, by first class mail, postage
prepaid, upon:
Stanley Caterbone
220 Stone Hill Road
Conestoga, PA 1751 6

Michael Donahue
Stone Harbor Police Administration Building
9508 2nd Avenue
Stone Harbor. NJ 08247

Stephen Basse, Esquire


8 17 East Landis Avenue
Vineland, NJ 08360

Stuart A. Weiss, Esquire


George M. Gowen, 111, Esquire
Cozen O'Connor
1900 Market Street
Philadelphia, PA 1 9 103

Howard L. Kelin, Esquire


Kegel, Kelin, Almy & Grimm
24 North Lime Street
Lancaster, PA 17602

George T. Brubaker, Esquire


Hartman, Underhill & Brubaker, LLP
221 East Chestnut Street
Lancaster, PA 17602

The foregoing document has also been filed electronically and is available for viewing and
downloading on the ECF system.
BARLEY SNYDER LLC
By: 1st Stephanie Carilev
Stephanie Carfley, Esquire
Attorneys for Defendant Fulton Bank
126 East King Street
Lancaster, PA 17602-2893
(717) 299-5201
Court I.D. No. 79136

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Wednesday
4:30 PM - 5:00 PM

Advanced Media Group

Food Stamps Submittals to Manor Street Office

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June 08, 2006
Thursday
All Day

IS HERLEY THE NEXT CHEM CON ISC?

Is Herley the next Chem-Con or ISC?


Manheim Township defense firm is 3rd here in 20 years accused of fraud.
By Tim Mekeel
Lancaster New Era
Published: Jun 08, 2006 1:50 PM EST
LANCASTER COUNTY, PA - One local defense contractor acted like it had big overseas
contracts, putting empty crates of inventory in warehouses worldwide.
A second local defense firm faked its own work records to show the production of boxcar-size
Navy cargo containers was on schedule.
A third local defense contractor allegedly faked problems obtaining parts and making
products, to justify the inflated prices it was charging.
Over the past 20 years, three defense firms here International Signal & Control, United
Chem-Con and now this week, Herley Industries have been indicted for fraud.
All were accused of orchestrating charades to achieve the same goal pocketing millions of
dollars.
But the alleged ruses were different. And whether the outcome of the cases is different as
well remains to be seen.
Though the top executives at ISC and United Chem-Con pleaded guilty and served years in
prison, Herley and its chairman, Lee N. Blatt, have denied any wrongdoing and say they will
vigorously contest the charges.
The biggest and most complex of the three local cases involved ISC, once an apparently
thriving firm that employed 1,800 here but then closed in the wake of the scandal.
A federal grand jury indicted 20 individuals and companies in 1991 for their roles in ISCs
$1.14 billion fake-contract scam, as well as a $50 million scheme to smuggle weapons to
South Africa.
ISC founder James H. Guerin pleaded guilty to eight counts of wrongdoing, admitting he
orchestrated the crimes. He recently finished a 13-year prison sentence in Florida and
returned to Lancaster County.
The fake contract scam was designed to portray ISC as a vibrant company, first so bankers
would lend it money and later, so the British firm Ferranti, would buy it.
The decade-long scheme was remarkably detailed.
A Pakistani military man got a $250,000 bribe to say that ISC had a missile contract with his
country. Fake missile contracts with that country, as well as the United Arab Emirates, China
and South Africa, were drawn up, with forged signatures.
Supporting documents were fabricated, down to minutes from phantom meetings about the
supposed contracts and invoices from imaginary suppliers.
Empty crates of inventory were placed in warehouses in Chile, Belgium and South Africa,
and a sham contract management office in Greece opened, all for the benefit of Ferrantis
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Thursday
auditors and outside auditors.
Then, to support the illusion of all this business, ISC funneled hundreds of millions of dollars
through a web of 47 front companies and 61 bank accounts around the world.
The scam at ISC was foreshadowed by the 1987 scandal at Chem-Con, a company which
Guerin co-founded and was headed by president James B. Christian.
Again, an apparently robust defense contractor, with about 150 employees here, collapsed
amid accusations of fraud. In 1988, the first indictments were filed. Ultimately, 15 people
were charged.
Christian pleaded guilty to racketeering, tax evasion, mail fraud and conspiracy, serving 22
months on the federal charges. He then went to state prison to serve the rest of a two-year
concurrent sentence for illegally dumping hazardous waste. He was released in 1991.
The heart of the Chem-Con case was the firms contract to make steel cargo containers for
the Navy. Chem-Con bilked the Navy out of $12 million in payments and the companys lead
bank, Meridian Bank, out of $3 million in loans based on work it hadnt performed.
But it sure acted like it had.
In a blizzard of fake paperwork, Chem-Con submitted phony invoices, labor costs and
production records to the Navy and the bank to hide the fact that it actually was behind
schedule.
The containers, known as sea sheds, were made at Chem-Cons plant in Renovo, Clinton
County.
Chem-Con used the same technique to hide the fact that a contract handled by its Lancaster
plant, to make Army fuze cables, was being completed with a 90 percent failure rate.
Herley, with more than 300 employees here, and Blatt were accused this week of using
another kind of fake paperwork to cheat the American military out of $2.8 million.
In a 35-count indictment, Herley and Blatt were charged with falsely inflating the prices that
Herley charged the military for two components used in aircraft radar, giving Herley profits of
more than 300 percent on them.
To support the prices, Herley and Blatt allegedly pretended that key parts would have to
made in costly, alternative ways. Then, once its prices were accepted by the military, Herley
allegedly reverted to the original ways.
The company and its chairman also allegedly fabricated expenses, including pretending to
fund research for one component at Syracuse University and buying new production
equipment for another.
Herley and Blatt also slowed or stopped production of early orders of the components, to
pressure the military into accepting its prices on later orders, the indictment alleges.

6:00 PM - 6:30 PM

Fulton Bank Giftcard carl mummert email

From : Advanced Media Group <amgroup01@msn.com>


Sent : Thursday, June 8, 2006 6:55 PM
To :
"'Mummert, Carl'" <CMummert@fultonbank.com>
CC :
<amgauctions@comcast.net>
Subject :
RE: Fraud Inquiry by you on Visa Gift Card
Advanced Media Group

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June 08, 2006 Continued


Thursday
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Fulton Bank owes me $45.98.


Sir, you are blind, there are (2) $26.90 charges on my Gift card Transaction details. And both
were used to compute the balance of $-.81.
I did not authorize the $10.00 Efax charge.
The $10.08 from Turkey Hill is erroneous, I did not purchase 10.08 of gasoline on June 5th or
4th.
Now Sir, I have a brief due in the chambers of U.S. District Court of the Eastern District of
Pennsylvania's Honorable Anita Brody, Caterbone v. Fulton Bank, tomorrow.
You, Sir, are harassing me with your lies, and you are obstructing justice and my due process
by harassing me with your phone call right when I began to formulate my brief.
Date

Description

Amount

6/3/2006
-25.9

Pending - J2 *EFAX PLUS SERV 323-817-3205 CAUS

6/7/2006
PAUS -8

EMPIRE BEAUTY SCHOOL #11 EMPIRE BEAUTY SCHO LANCASTER

6/7/2006
-5

TURKEY HILL #0251 Q69 TURKEY HILL #0251 LANCASTER PAUS

6/7/2006
-0.5

TURKEY HILL #0251 Q69 TURKEY HILL #0251 LANCASTER PAUS

6/6/2006
-5.94

THE UPS STORE #3413 THE UPS STORE #341 LANCASTER PAUS

6/6/2006
FUNKS FARM MARKET N GARDE FUNKS FARM MARKET
MILLERSVILLE PAUS -5.05
6/6/2006

ATM Balance Inquiry Fee

-1

6/6/2006
-5.39

MILLERSVILLE MART MILLERSVILLE PAUS

6/6/2006
-10

J2 *EFAX PLUS SERVICE J2 *EFAX PLUS SERV 323-817-3205 CAUS

6/6/2006
TENNISTRAINER EQUIP STORE TENNISTRAINER EQUI 760-9171841
CAUS -16.18

Advanced Media Group

6/5/2006

ATM Balance Inquiry Fee

6/5/2006
-10.08

TURKEY HILL #0076 Q69 TURKEY HILL #0076 LANCASTER PAUS

6/5/2006

VONAGE *PRICE+TAXES VONAGE *PRICE+TAXE 866-243-4357 NJUS


225

-1

9/25/2006 10:14 AM

June 08, 2006 Continued


Thursday
-17.48
6/4/2006

DOLLAR GENERAL 1805 COLUMBIA AVE LANCASTER PAUS


-3.64

6/4/2006

ATM Balance Inquiry Fee

6/4/2006
-25.9

J2 *EFAX PLUS SERVICE J2 *EFAX PLUS SERV 323-817-3205 CAUS

6/4/2006
-10

TURKEY HILL #0246 Q69 TURKEY HILL #0246 LANCASTER PAUS

6/2/2006

ATM Withdrawal Fee

6/2/2006
-21.75

PNC NE 1503 COLUMBIA AVE LANCASTER 1PAUS

6/2/2006
175

Funds Transfer from Fulton Financial Corp

-1

-2

Balance of all Transactions

-175.81

Balance of Fruadulent Transactions

$45.98

Advanced Media Group


Stan Caterbone
www.amgglobalentertainmentgroup.com
amgroup01@msn.com
Fax: 717-427-1621
_____
From: Mummert, Carl [mailto:CMummert@fultonbank.com]
Sent: Thursday, June 08, 2006 6:26 PM
To: amgroup01@msn.com
Subject: Fraud Inquiry by you on Visa Gift Card

Mr. Caterbone,
I just tried to call you to talk to you in regards to your request for information on possible
fraud in relation to your Visa Gift card you purchased last week. As you thought it best to
hang up on me as I tried to explain what I found out by calling E-fax to research your gift
card, I will now explain in brief detail what the fees were you inquired about. The $10.00 fee
on June 6th is a pre-paid amount E-fax charges to allow you to fax pages @ .10 per
page. When you use the $10.00, E-fax will then pre-pay/charge another $10.00. As for your
inquiry of being double billed the $25.90. I spoke with a gentleman named Vincent @ E-Fax
and he stated that their is not a double charge and that you were only billed $25.90 one time
for 2 months service (May 2nd to June 1st and June 2 to July 3rd). The monthly charge is
$12.95 and since the card # you provided E-fax in May was denied, they billed you for 2
months in the beginning of June. The Reference # for this information is 001428472. If you
have any further questions in regards to YOUR E-fax account, I would ask you call E-fax
yourself. The # for E-fax is (323) 817-3206. At this time I do not have any information for
you in regards to your inquiry at the $10.08 charged on June 6th.
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Mr. Caterbone, since you again feel the best way to handle this situation is to hang up
on me when I was trying to give you this information, I would request that you discontinue
contacting myself. I do not have the time to continue to try and help you when you are
unwilling to listen to the information I have to pass onto you. This is the second time in 3 days
that you disrespected me, with the 1st being on Tuesday, June 6th when you called me
ignorant and I would respectfully request that you no longer ask for help from me. I have
tried to be polite and respect you and I would hope you could do the same. When Fulton
bank completes its research as to what the $10.08 charge was that you are disputing, the
bank will contact you by email or letter.
Thank you for your attention to this email and I hope the information I passed onto you
so far is useful.
Respectfully,
Carl E Mummert
Branch Manager
Penn Square Branch
Fulton Bank
(717) 291-2451 (Phone)
(717) 295-4792 (Fax)
cmummert@fultonbank.com
***CONFIDENTIALITY NOTICE***This email contains confidential information which may
also be legally privileged and which is intended only for the use of the recipient(s) named
above. If you are not the intended recipient, you are hereby notified that forwarding or
copying of this email, or the taking of any action in reliance on its contents, may be strictly
prohibited. If you have received this email in error, please notify us immediately by reply
email and delete this message from your inbox. Thank you

June 09, 2006


Friday
9:00 AM - 9:30 AM

Hearing for Conetoga Speeding Ticket -- District Court, 25 East State Street,Quarryville,PA 17566
717-786-7368

717-786-2072 fax
5:00 PM - 5:30 PM

Fulton Reply to Brody Motion Due

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA

In the matter of:


STANLEY J. CATERBONE

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CA 06-1538

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APPELLANT STANLEY J. CATERBONES REPLY BRIEF


OF THE FULTON BANKS ANSWER TO APPEAL

DATED:

June 8, 2006

__________________________
Advanced Media Group
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-421-1621 Facsimile

I. STATEMENT OF THE CASE PER FULTON BANK


On or about May 23,2005, Appellant, Stanley J. Caterbone ("Caterbone") filed a pro se
voluntary Chapter 11 bankruptcy petition in the United States Bankruptcy Court for the
Eastern District of Pennsylvania (Reading) to Docket No. 05-23059. Appellee Fulton Bank
(Futlon) is the holder of a second claim against Caterbone in the Bankruptcy Case by virtue
of a Note (the Note) dated January 20,1995 and a Mortgage (the "Mortgage") dated January
20, 1995 on Caterbone's property located at 220 Stone Hill Road, Township of Conestoga,
Lancaster County, Pennsylvania (the "Property"). After Caterbone failed to make post-petition
payments on the Note and Mortgage for the months of June 2005 through January 2006,
Fulton filed its motion for Relief from the Automatic Stay on January 24,2006. On or about
February 2, 2006, Caterbone filed Debtor's Response to Motion of Fulton Bank for Relief from
Stay, and a hearing was held on Fulton's Motion for Relief from Stay on February 21,2006
before the Honorable Richard E. Fehling. At the hearing, testimony was given on behalf of
Fulton, and Caterbone testified on his own behalf. Thereafter, on February 23,2006, the
Bankruptcy Court issued an Order granting Fulton's Motion for Relief from the Automatic Stay
and providing its basis for granting such relief. On or about March 17,2006, Caterbone filed
his Notice of Appeal with respect to the Bankruptcy Court's February 23,2006 Order (the
"Appeal"). The Appeal currently is pending before this Court. Caterbone, after obtaining from
this Court an extension of time through May 15,2006 to file a Brief in support of his Appeal,
filed a document titled "Answer to Complaint" on May 15,2006. This Brief is submitted in
opposition of Caterbone's Appeal.
II. ARGUMENT BY FULTON BANK
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The Bankruptcy Court's February 23,2006 Order granting Appellee's Motion for Relief from
the Automatic Stav should be affirmed because Appellant has failed to show any clearly
erroneous findings of fact or incorrect conclusions of law by the Bankruptcy Court. Neither of
the documents Caterbone has filed in this appeal alleges, let alone establishes, that there
were any clearly erroneous findings of fact or incorrect conclusions of law by the Bankruptcy
Court, nor has Caterbone filed any designation of the issues to be presented on appeal. this
Court's review. As found by the Bankruptcy Court at the February 21,2006 hearing and stated
in its February 23,2006 Order, Fulton established at the hearing that Caterbone made no
post-petition payments on the Mortgage since May of 2005, and Caterbone failed to meet his
burden of showing that Fulton's interests in the Property were adequately protected. These
findings of fact may not be set aside on appeal unless clearly erroneous. See Federal Rules
of Bankruptcy Procedure Rule 8013. The Bankruptcy Court's conclusions of law set forth in
the February 23,2006 Order are equally clear and concise and are fully supported by
bankruptcy law. Fulton, which had the initial burden to demonstrate that "cause" existed for
the Bankruptcy Court to grant relief, did so by establishing that Caterbone defaulted in
making post-petition mortgage payments. February 23,2006 Order (citing In re Duoell, 235
B.R. 783,788 (Bankr. E.D. Pa. 1999); m, 837 F.2d 124, 128 (3rd Cir. 1988); In re Skipworth,
69 B.R. 526,527-28 (Bankr. E.D. Pa. 1987)). Then, the burden shifted to Caterbone to
establish the absence of "cause", which Caterbone may have done by showing that Fulton
was adequately protected. Id. (citing m, 235 B.R. at 789; Skipworth, 69 B.R. at 527-28). Once
Fulton met its initial burden by demonstrating "cause" by virtue of Caterbone's failure to make
past-petition mortgage payments, the ultimate burden of proof on tlie issue of adequate
protection under 11 U.S.C. $362(d)(1) was on Caterbone. Id. (citing Skipworth, 69 B.R. at
528). Since Caterbone failed to meet his burden of establishing the absence of "cause",
having introduced no evidence whatsoever of adequate protection, the Bankruptcy Court
correctly found that Fulton was entitled to an order granting its Motion for Relief from the
Automatic Stay with respect to the Property.
III)

APPELLANTS REPLY FOR CONSIDERATION OF THE COURT

On May 23, 2005 Appellant filed a filed a pro se voluntary Chapter 11 bankruptcy petition in
the United States Bankruptcy Court for the Eastern District of Pennsylvania (Reading)
Docket No. 05-23059. In several filings with the Bankruptcy Court Appellant described the
circumstances, which caused the Appellant to file for Bankruptcy protection. In 1998 the
Appellant filed an affidavit with the Honorable Judge Stewart Dalzall which will clearly and
concisely explain to the Court the reason for Appellants Petition for Bankruptcy.

The

Appellant wishes the Court to review this Affidavit to review the reasons for the cause of filing
for bankruptcy protection. This review of the Appellants history is material to the Courts
decision in the Appeal for several reasons:
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1.

It will demonstrate that the Appellant has a factual accounting of events that
include misconduct and wrongdoing by the Appellee during the course of the
Appellants commercial relationship with the Appellee.

2.

It will demonstrate that the Appellants allegations that the Appellant is


operating as a criminal enterprise as stated during testimony in the hearing
on Fulton's Motion for Relief from Stay on February 21,2006 before the
Honorable Richard E. Fehling is with merit and contains many violations with
regards to lender liability laws and statutes, and violations of anit-trust
regulations considering the Appellants successful operation of a mortgage
banking operation that was competitive with the Appellees efforts to finance
and mortgage commercial real estate properties in excess of $3 million in
fair market value.

3.

It will demonstrate that the Appellants quest for due process and legal
remedies continue with regards to the issues raised in the Affidavit to the
Honorable Judge Stewart Dalzall.

4.

It will demonstrate that the Appellants motion for Relief from the Automatic
Stay on January 24,2006 is a further attempt to subvert, obstruct, and divert
the Appelleants right to due process regarding the issues that continue to
harm the Appellant.

IV) AFFIDAVIT OF 1998 TO HONORABLE JUDGE STEWART DALZALL


I, Stanley J. Caterbone being duly sworn according to law, make the following affidavit
concerning the years during which I was maliciously and purposefully mentally abused,
subjected to a massive array of prosecutorial misconduct, while enduring an exhaustive
fight for the sovereignty of my constitutional rights, shareholder rights, civil liberties, and
right of due access to the law. I will detail a deliberate attempt on my life, in 1991, exhibiting
the dire consequences of this complaint.. These allegations are substantiated through a
preponderance of evidence including but not limited to over 10,000 documents, over 50
hours of recorded conversations, transcripts, and archived on several digital mediums. A
Findings of Facts is attached herewith providing merits and the facts pertaining to this
affidavit.

These issues and incidents identified herein have attempted to conceal my

disclosures of International Signal & Control, Pls.,. However, the merits of the violations
contained in this affidavit will be proven incidental to the existence of any conspiracy.
The plaintiff protests the courts for all remedial actions mandated by law.

Financial

considerations would exceed $1 million.


These violations began on June 23, 1987 while I was a resident and business owner in
Lancaster County, Pennsylvania., and have continued to the present. These issues are a
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direct consequence of my public disclosure of fraud within International Signal & Control,
Plc., of County of Lancaster, Pennsylvania, which were in compliance with federal and state
statutes governing my shareholder rights granted in 1983, when I purchased my interests in
International Signal & Control., Plc.. I will also prove intentional undo influence against
family and friends towards compromising the credibility of myself, with malicious and selfserving accusations of insanity.

I conclude that the courts must provide me with fair

access to the law, and most certainly, the process must void any technical deficiencies
found in this filing as being material to the conclusions. Such arrogance by the Courts
would only challenge the judicial integrity of our Constitution.
1

The activities contained herein may raise the argument of fair disclosure regarding the
scope of law pertaining to issues and activities compromising the National Security of the
United States. The Plaintiff will successfully argue that due to the criminal record of
International Signal & Control, including the illegal transfer of arms and technologies to
an end user Iraq, the laws of disclosure must be forfeited by virtue that said activities
posed a direct compromise to the National Security of the United States.; the plaintiff will
argue that his public allegations of misconduct within the operations of International
Signal & Control, Plc., as early as June of 1987 ; demonstrated actions were proven to
protect the National Security of the United States.. The activities of International Signal
& Control, Pls., placed American troops in harms way. The plaintiffs actions should have
taken the American troops out of harms way causing the activities of the International
Signal & Control, Plc., to cease and desist. .
All activities contained herein have greatly compromised the National Security of the
United States, and the laws of jurist prudence must apply towards the Plaintiffs intent and
motive of protecting the rights of his fellow citizens. Had the plaintiff been protected
under the law, and subsequently had the law enforcement community of the
Commonwealth of Pennsylvania, and the County of Lancaster administer justice, United
States troops may have been taken out of harms way, as a direct result of ceasing the
operations of International Signal & Control, Plc., in as early as 1987.

2. The plaintiff will successfully prove that the following activities and the prosecutorial
misconduct were directed at intimidating the plaintiff from continuing his public
disclosures regarding illegal activities within International Signal & Control, Plc,. On June
23, 1998, International Signal & Control, Plc was negotiating for the $1.14 billion merger
with Ferranti International, of England.

Such disclosures threatened the integrity of

International Signal & Controls organization, and Mr. James Guerin himself, ,
consequently resulting in adverse financial considerations to all parties if such disclosures
provided any reason to question the integrity of the transaction, which later became the
central criminal activity in the in The United States District Court For The Eastern District
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Of Pennsylvania.
3

The plaintiff will prove that undo influence was also responsible for the adverse
consequences and fabricated demise of his business enterprises and personal holdings.
The dire consequences of the plaintiffs failed business dealings, will demonstrate and
substantiate financial incentive and motive. Defendants responsible for administering
undo influence and interference in the plaintiffs business and commercial enterprises had
financial interests. The Commonwealth of Pennsylvania as a taxing authority, Lancaster
County had a great investment whos demise would facilitate grave consequences to its
economic development. .

Commonwealth National Bank (Mellon) would have less

competition in the mortgage banking business and other financial services, violating the
lender liability laws.

The Steinman Enterprises, Inc., would loose a pioneer in the

information technologies industries, and would protect the public domain from truthful
disclosure.

The plaintiff will also provide significant evidence of said perpetrators

violating common laws governing intellectual property rights.


4. Given the plaintiffs continued and obstructed right to due process of the law, beginning in
June of 1987 and continuing to the present, the plaintiff must be given fair access to the
law with the opportunity for any and all remedial actions required under the federal and
state statutes. The plaintiff will successfully argue his rights to the courts to rightfully
claim civil actions with regards to the totality of these activities, so described in the
following Findings of Facts, regardless of any statute of limitations. Given the plaintiffs
genuine efforts for due process has been inherently and maliciously obstructed, the
courts must provide the opportunity for any and all remedial actions deserving to the
plaintiff.
5. Under current laws, The plaintiffs intellectual capacity has been exploited as means of
discrediting the plaintiffs disclosures and obstructing the plaintiffs right to due process of
the law.

The plaintiff has always had the proper rights under federal and state laws to

enter into contract. The logic and reason towards the plaintiffs activities and actions are
a matter of record, demonstrated in the Findings of Facts, contained herein..
The plaintiff will argue and successfully prove that the inherent emotional consequences
to all of the activities contained herein have resulted in Post Traumatic Stress Syndrome.
The evidence of the stress subjected to the plaintiff, will prove to be the direct result of
the activities contained herein, rather than the exhibited behavior of any mental
deficiency the plaintiff may or may not have. The courts must provide for the proper
interpretations of all laws, irrespective of the plaintiffs alleged intellectual capacity. The
plaintiff successfully argue that his mental capacity is of very little legal consequence, if
any; other than in its malicious representations used to diminish the credibility of the
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plaintiff.
6. The plaintiff will demonstrate that the following incidents of illegal prosecutions were
purposefully directed at intimidating the plaintiff from further public disclosure into the
activities of International Signal & Control, Plc., consequently obstructing the plaintiffs
access to due process of the law. Due to the fact that these activities to which the
plaintiffs perpetrators were protecting were illegal activities, the RICO statutes would
apply.
To this day, the plaintiff has never been convicted of any crime with the exception of 2
speeding tickets. The following report identifies 34 instances of prosecutorial misconduct
during the prosecutions and activities beginning on June 23, 1987 and continuing to
today.
7

Given the preponderance of evidence associated with this affidavit, the courts must
conclude that In The United States District Court For The Eastern District of
Pennsylvania, Federal Judge Stuart Dalzalls findings of April 14, 1997, in the Lisa
Lambert case identifying acts of Prosecutorial Misconduct, now, by virtue of this affidavit,
now discloses evidence of a bona fide pattern of prosecutorial misconduct, in the
Commonwealth of Pennsylvania and in the County of Lancaster. Criminal law must now
determine if these disclosures would warrant investigations of a possible criminal
enterprise. This affidavit is of material interest to the Lambert case, for the very fact that
this affidavit compromises the very same integrity of the court, which would tip the scales
of justice even further from the peoples deserving rights..
In the truthfulness of this affidavit, The Commonwealth must concede Lisa Michelle
Lambert to balance the scales of justice, which no other act could accomplish. The
Commonwealth must yield the criminal culpability of Lisa Michelle Lambert to the
superior matter of restoring the integrity to the courts; by its own admission of
wrongdoing, assuring the peoples of its commitment to administer equalities of justice,
not inequalities of justice. Balancing the scales of justice. Anything less, would take the
full scope of jurisdiction out of the boundaries of our laws, negating our democracy and
impugning the Constitution of the United States.. The plaintiff must be restored to whole.

V.

ALLEGATIONS OF WRONGDOING BY THE APPELLEE


1.

1987 - Libel and slander pertaining to a FULTON BANK employee (Jill Carson),
against my person while a customer of FULTON BANK that contributed to my
demise and the demise of my company and its subsidiaries Financial
Management Group, Ltd. A check for insurance for my plain that was posted

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against my account at FULTON Bank in 1987, was intentionally and maliciously
used for a reason for the wrongful repossession by the then Commonwealth
Bank, resulting in several violations of lender liability against both FULTON
BANK and COMMONWEALTH BANK(MELLON BANK), some 30 days before my
first payment on the loan with COMMONWEALTH BANK.
2. 1990 - Diversion of funds regarding a check that was erroneously posted against
my account in 1991, that involved Mr. Hostettler, the branch manager of the
FULTON BANK branch at the Greenfield Corporate Center.
3. 1995 - The diversion of funds and extortion of funds by FULTON BANK from the
late Thomas P. Caterbone, my brother, in 1995, from his company Country
Funding, which was a primary circumstance surrounding his suicide in 1996.
4. 2006 - The undo influence of the FULTON BANK account for Toms Project Hope
account that I was the sole signatory and depositor of funds in 2005 by a
FULTON BANK employee or employees.
5. The diversion of funds from the Appellant by the Appellee with regards to the
purchase of a Visa Giftcard on June 1, 2006.
VI)

APPELLANTS ARGUMENT

The Appellant is requesting and wising the Court to ignore the Appellees continued arrogance
and undo influence concerning the issues that have required the Appellant to file for
bankruptcy protection in the voluntary Chapter 11 bankruptcy petition in the United States
Bankruptcy Court for the Eastern District of Pennsylvania (Reading) to Docket No. 05-23059.
The Appellant is requesting the Court to use its discretionary powers to allow the Appellants
civil actions currently before The United States District Court For The Eastern District Of
Pennsylvania in STANLEY J. CATERBONE Plaintiff, VS. FULTON BANK, Civil Action No:
05-2288, under the jurisdiction of the Honorable Mary A. McLaughlin to continue without
interruption and prejudice by the Appellee. By vacating the Automatic Stay, the Court will
enforce an equitable and justifiable right to due process that the Constitution of the United
States affords every citizen of this country. The Appellees financial interest in the property is
clearly protected by virtue of its 1st place lien, and the Appellants continued payment of that
debt would be protected if the various courts would only uphold the Appellants civil rights that
are afforded under the Constitution of the United States.
VII)

CONCLUSION

Based on the foregoing, Appellant, Stanley J. Caterbone, respectfully requests that this Court
deny the Bankruptcy Court's February 23,2006 Order granting Fulton Bank's Motion for Relief
from the Automatic Stay with respect to the Property.
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DATED:

June 8, 2006

__________________________
Advanced Media Group
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-421-1621 Facsimile

EXHIBIT A

EXHIBIT B

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EXHIBIT C

EXHIBIT D

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EXHIBIT E

EXHIBIT F

EXHIBIT G
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June 10, 2006


Saturday
12:30 AM - 1:00 AM

Dave, Heather, Cory,Gordie,John Gaul & Merna at Rock Hill -- Rock Hill Tavern

Everything fine until Dave, John and Gordie walked out to go to .. Dave bought me a
drink and a round for Corie B-day.
Was civil to all
Heather started trouble after Dave walked out, "why did you sue Dave, it is recorded" Kept
telling her it was not.
You are not married to Sheryl Crow, you are a lier"
Moved to the other side of bar to talk to guy with Project Hope golf shirt on, John? Stoe
Bartender kept giving me a hard time for all the Pflumms
Bartender yelled at me that now is not the time, I said she started it by bring it up, and I was
informing her of the truth.
Bitch bartender called me a Dick, so I called her a Cunt and she took my drink. Told Harris to
give me my drink back, only had 2 beers all night at Prince street bar.
Corie yelled, he has been going off on everyone tonight.

June 12, 2006


Monday
1:00 PM - 1:30 PM

PLAINTIFFS REPLY TO FULTON BANKS RESPONSE TO PLAINTIFFS MOTION FOR EX PARTE MEETING
WITH THE HO -- US District Courthouse Philadlphia

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA

STANLEY J. CATERBONE,
Plaintiff
v.

No. 05-

CV-2288
LANCASTER COUNTY PRISON,
MANHEIM TOWNSHIP POLICE DEPARTMENT,
DEMANDED
STONE HARBOR POLICE DEPARTMENT,
AVALON POLICE DEPARTMENT,
COMMONWEALTH NATIONAL BANK (LC. MELLON BANK),
SOUTHERN REGIONAL POLICE DEPARTMENT,
LANCASTER COUNTY SHERIFFS DEPARTMENT,
FULTON BANK
Defendant

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PLAINTIFFS REPLY TO FULTON BANKS RESPONSE TO PLAINTIFFS
MOTION FOR EX PARTE MEETING WITH THE HONORABLE MARY A. McLAUGHLIN

FULTON BANK RESPONSE


Defendant, Fulton Bank, by and through its attorneys, Barley Snyder, LLC, hereby files the
following Response in opposition to Plaintiffs Motion for Ex Parte Meeting with the Honorable
Mary A. McLaughlin: On or about June 2,2006, Plaintiff filed a Motion requesting an ex parte
meeting with the Honorable Mary A. McLaughlin "to discuss the problems of preceding, this
action without obstruction of justice; and to amend the original complaint as discussed
previously." See Plaintiffs Motion. However, Plaintiff provides no justification whatsoever for
his request for an ex parte meeting with the Court. Rather, Plaintiff apparently labors under
the false assumption that by proceeding pro se he is absolved of all responsibility to comply
with the rules. Such is not the case. The fact that Plaintiff decided to be his own lawyer does
not excuse him from following the rules of civil procedure or entitle him to any particular
advantage for lack of legal training. "The right of self-representation is not a license to abuse
the dignity of the courtroom. Neither is it a license not to comply with relevant rules of
procedural and substantive law." Faretta v. California, 422 U.S. 806,834 n. 46,95 S.Ct.
2525,2541 n. 46,45 L.Ed.2d 562 (1975).
In the instant case, Plaintiff has no greater right to be heard than he would have if he were
represented by counsel. As a pro se litigant, Plaintiff, in essence, stands in the place of an
attorney. Plaintiffs request for an ex parte meeting with the Court in this case violates Rule
3.5(a) of the Rules of Professional Conduct because it is clear that Plaintiff seeks to influence
the Court with his version of events, without providing defense counsel any opportunity to
respond.' Since an ex parte meeting with the Court would violate the Rules of Professional
Conduct and provide Plaintiff an unfair advantage over Defendants, Plaintiffs request for
such a meeting should be refused.
HISTORICAL BACKGROUND
The following is copy of an Affidavit that was filed on January 31, 1998 in the chambers of
Honorable Stewart Dalzell in a desperate attempt for due process of the issues contained
herein. In November of 1997 the PLAINTIFF sought the counsel of Ms. Christina Rainville
while employed by the firm of Schnader, Harrison, Segal and Lewis.

This was the last

attempt by the PLAINTIFF of seeking competent legal counsel. Ms. Rainville acknowledged
and communicated to the PLAINTIFF that the firm had barred her from representing any
additional clients from Lancaster County shortly after the PLAINTIFFs solicitation; which she
had plenty of solicitations from other potential Lancaster County clients. In the document
titled Plaintiff Finding of Facts it is clearly documented that the PLAINTIFF did attempt to
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solicit and retain several competent lawyers since 1987, all of who displayed conflicts of
interests, and some went so far as to violate rules of ethics concerning client/attorney
privilege. PLAINTIFFs filing as Pro Se Litigant was the only alternative available that would
protect and preserve the PLAINTIFFs legal standing and right to due process. The following
excerpt from the Affidavit will demonstrate to the court a factual account of the events that
precluded and provided the Plaintiff the legal standing to file the original complaint on May
16, 2005.

AFFIDAVIT OF 1998 TO HONORABLE JUDGE STEWART DALZELL


I, Stanley J. Caterbone being duly sworn according to law, make the following affidavit
concerning the years during which I was maliciously and purposefully mentally abused,
subjected to a massive array of prosecutorial misconduct, while enduring an exhaustive
fight for the sovereignty of my constitutional rights, shareholder rights, civil liberties, and
right of due access to the law. I will detail a deliberate attempt on my life, in 1991, exhibiting
the dire consequences of this complaint. These allegations are substantiated through a
preponderance of evidence including but not limited to over 10,000 documents, over 50
hours of recorded conversations, transcripts, and archived on several digital mediums. A
Findings of Facts is attached herewith providing merits and the facts pertaining to this
affidavit.

These issues and incidents identified herein have attempted to conceal my

disclosures of International Signal & Control, Plc. However, the merits of the violations
contained in this affidavit will be proven incidental to the existence of any conspiracy.
The plaintiff protests the courts for all remedial actions mandated by law.

Financial

considerations would exceed $1 million.


These violations began on June 23, 1987 while I was a resident and business owner in
Lancaster County, Pennsylvania, and have continued to the present. These issues are a
direct consequence of my public disclosure of fraud within International Signal & Control,
Plc., of County of Lancaster, Pennsylvania, which were in compliance with federal and state
statutes governing my shareholder rights granted in 1983, when I purchased my interests in
International Signal & Control., Plc.. I will also prove intentional undo influence against
family and friends towards compromising the credibility of myself, with malicious and selfserving accusations of insanity.

I conclude that the courts must provide me with fair

access to the law, and most certainly, the process must void any technical deficiencies
found in this filing as being material to the conclusions. Such arrogance by the Courts
would only challenge the judicial integrity of our Constitution.
1
Advanced Media Group

The activities contained herein may raise the argument of fair disclosure regarding the
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scope of law pertaining to issues and activities compromising the National Security of the
United States. The Plaintiff will successfully argue that due to the criminal record of
International Signal & Control, including the illegal transfer of arms and technologies to
an end user Iraq, the laws of disclosure must be forfeited by virtue that said activities
posed a direct compromise to the National Security of the United States.; the plaintiff will
argue that his public allegations of misconduct within the operations of International
Signal & Control, Plc., as early as June of 1987 ;demonstrated actions were proven to
protect the National Security of the United States.. The activities of International Signal
& Control, Pls., placed American troops in harms way. The plaintiffs actions should have
taken the American troops out of harms way causing the activities of the International
Signal & Control, Plc., to cease and desist. .
All activities contained herein have greatly compromised the National Security of the
United States, and the laws of jurist prudence must apply towards the Plaintiffs intent and
motive of protecting the rights of his fellow citizens. Had the plaintiff been protected
under the law, and subsequently had the law enforcement community of the
Commonwealth of Pennsylvania, and the County of Lancaster administer justice, United
States troops may have been taken out of harms way, as a direct result of ceasing the
operations of International Signal & Control, Plc., in as early as 1987.
2. The plaintiff will successfully prove that the following activities and the prosecutorial
misconduct were directed at intimidating the plaintiff from continuing his public
disclosures regarding illegal activities within International Signal & Control, Plc,. On June
23, 1998, International Signal & Control, Plc was negotiating for the $1.14 billion merger
with Ferranti International, of England.

Such disclosures threatened the integrity of

International Signal & Controls organization, and Mr. James Guerin himself, ,
consequently resulting in adverse financial considerations to all parties if such disclosures
provided any reason to question the integrity of the transaction, which later became the
central criminal activity in the in The United States District Court For The Eastern District
Of Pennsylvania.
3

The plaintiff will prove that undo influence was also responsible for the adverse
consequences and fabricated demise of his business enterprises and personal holdings.
The dire consequences of the plaintiffs failed business dealings will demonstrate and
substantiate financial incentive and motive. Defendants responsible for administering
undo influence and interference in the plaintiffs business and commercial enterprises had
financial interests. The Commonwealth of Pennsylvania as a taxing authority, Lancaster
County had a great investment whos demise would facilitate grave consequences to its
economic development. .

Commonwealth National Bank (Mellon) would have less

competition in the mortgage banking business and other financial services, violating the
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lender liability laws.

The Steinman Enterprises, Inc., would loose a pioneer in the

information technologies industries, and would protect the public domain from truthful
disclosure.

The plaintiff will also provide significant evidence of said perpetrators

violating common laws governing intellectual property rights.


4. Given the plaintiffs continued and obstructed right to due process of the law, beginning in
June of 1987 and continuing to the present, the plaintiff must be given fair access to the
law with the opportunity for any and all remedial actions required under the federal and
state statutes. The plaintiff will successfully argue his rights to the courts to rightfully
claim civil actions with regards to the totality of these activities, so described in the
following Findings of Facts, regardless of any statute of limitations. Given the plaintiffs
genuine efforts for due process has been inherently and maliciously obstructed, the
courts must provide the opportunity for any and all remedial actions deserving to the
plaintiff.
5. Under current laws, the plaintiffs intellectual capacity has been exploited as means of
discrediting the plaintiffs disclosures and obstructing the plaintiffs right to due process of
the law.

The plaintiff has always had the proper rights under federal and state laws to

enter into contract. The logic and reason towards the plaintiffs activities and actions are
a matter of record, demonstrated in the Findings of Facts, contained herein..
The plaintiff will argue and successfully prove that the inherent emotional consequences
to all of the activities contained herein have resulted in Post Traumatic Stress Syndrome.
The evidence of the stress subjected to the plaintiff, will prove to be the direct result of
the activities contained herein, rather than the exhibited behavior of any mental
deficiency the plaintiff may or may not have. The courts must provide for the proper
interpretations of all laws, irrespective of the plaintiffs alleged intellectual capacity. The
plaintiff successfully argue that his mental capacity is of very little legal consequence, if
any; other than in its malicious representations used to diminish the credibility of the
plaintiff.
6. The plaintiff will demonstrate that the following incidents of illegal prosecutions were
purposefully directed at intimidating the plaintiff from further public disclosure into the
activities of International Signal & Control, Plc., consequently obstructing the plaintiffs
access to due process of the law. Due to the fact that these activities to which the
plaintiffs perpetrators were protecting were illegal activities, the RICO statutes would
apply.
To this day, the plaintiff has never been convicted of any crime with the exception of 2
speeding tickets. The following report identifies 34 instances of prosecutorial misconduct
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during the prosecutions and activities beginning on June 23, 1987 and continuing to
today.
7

Given the preponderance of evidence associated with this affidavit, the courts must
conclude that In The United States District Court For The Eastern District of
Pennsylvania, Federal Judge Stuart Dalzalls findings of April 14, 1997, in the Lisa
Lambert case identifying acts of Prosecutorial Misconduct, now, by virtue of this affidavit,
now discloses evidence of a bona fide pattern of prosecutorial misconduct, in the
Commonwealth of Pennsylvania and in the County of Lancaster. Criminal law must now
determine if these disclosures would warrant investigations of a possible criminal
enterprise. This affidavit is of material interest to the Lambert case, for the very fact that
this affidavit compromises the very same integrity of the court, which would tip the scales
of justice even further from the peoples deserving rights..
In the truthfulness of this affidavit, The Commonwealth must concede Lisa Michelle
Lambert to balance the scales of justice, which no other act could accomplish. The
Commonwealth must yield the criminal culpability of Lisa Michelle Lambert to the
superior matter of restoring the integrity to the courts; by its own admission of
wrongdoing, assuring the peoples of its commitment to administer equalities of justice,
not inequalities of justice. Balancing the scales of justice. Anything less, would take the
full scope of jurisdiction out of the boundaries of our laws, negating our democracy and
impugning the Constitution of the United States. The plaintiff must be restored to whole.
I was not defending the criminal culpability of Lisa Michelle Lambert, but rather assaulting
the judicial integrity of the Lancaster County Judicial System, from first-hand experience;
and making the point that such conduct eludes every major stakeholder from the truth
and justice prosecution and defense alike.

PLAINTIFFS REPLY
PLAINTIFF filed the original complaint on May 16, 2005 prematurely due to the undo
influence and intimidation of several DEFENDANTS and other persons, entities, and or
organizations; specifically the threat of a fabricated criminal prosecution. PLAINTIFF readily
recognized the deficiencies in the filing and the lack of a formal complaint (affidavit and
finding of facts only), and had repeatedly requested information and procedural guidance
from the Court during the course of time that had elapsed until the ORDER of the Honor on
January 7, 2006. This had seemed especially difficult in light of the fact that the original filing
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was sealed. In 1998 PLAINTIFF stated to the courts the following: I conclude that the courts
must provide me with fair access to the law, and most certainly, the process must void any
technical deficiencies found in this filing as being material to the conclusions.

Such

arrogance by the Courts would only challenge the judicial integrity of our Constitution.
PLAINTIFF acknowledges that the preceding statement contains an emotional response to
the situation, and readily requests that the Court interprets the legal intention and merits of
the PLAINTIFFs request for a fair and reasonable access to the Court to hear and adjudicate
the PLAINTIFFs complaint.
PLAINTIFF has filed numerous formal complaints with the Federal Bureau of Investigations
Internet Crime Complaint Center.
I05120804514805; and

Those complaints identified as; I05120608348825 ;

I06010506177009.

Additionally complaints were filed with the

Southern Regional Police Department of Conestoga, and the Lancaster County District
Attorneys Office with Chief Detective Michael J. Landis during the course of the last 2 years,
where the PLAINTIFFS computer and online broadband connections was hacked. At times
when PLAINTIFF attempted to search and find Rules of Civil Procedure (Federal and
Pennsylvania) and related subject matters, including but not limited to the effective service
for DEFENDANTS, certain provisions were missing and or replaced with erroneous and
misinformation, thus resulting in an improper Certificate of Service and violation of the Rules
of Civil Procedure relating to the Service of the complaint.
Plaintiff deliberately provided no response to all previous Motions to Dismiss filed by several
DEFENDANTS due to the vagueness of the ORDER of January 7, 2006 instructing the
PLAINTIFF to only serve all DEFENDANTS with the complaint. That ORDER stated: IT IS
HEREBY ORDERED that the plaintiff shall serve the summons and complaint on or before
January 25, 2006. If the plaintiff does not do so, the Court will dismiss the complaint without
prejudice. The Court will consider the plaintiff's request to amend the complaint and for a
hearing after the summons and complaint are served.
The court provided not instructions or demands of the PLAINTIFF to proceed with any
additional motions, responses, and or replies after the effectively serving the original
complaint to all of the DEFENDANTS. PLAINTIFF will argue that continuing with litigating
the original complaint bears no purpose, nor serves any interests of the Court in providing the
PLAINTIFF with due process and access to the Courts due to the fact that the original
complaint was not appropriately formulated to ensure that the PLAINTIFFS allegations of
misconduct and violations of Federal Law were constructed sufficiently for the Court.
PLAINTIFF, on June 2, 2006, appropriately and formally requested that meeting with the
Court to amend the original complaint in the Motion for Ex Parte Meeting with the Honorable
Mary A. McLaughlin.
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PLAINTIFF seeks no advantage, special treatment, nor special considerations from the Court.
PLAINTIFF is seeking the ex parte meeting for procedural guidance to amend the original
complaint and to address the ramifications of the sealing of the complaint with special regards
to issues of National Security and documented and factual threats on the PLAINTIFFs life .
The following is the excerpt from the PLAINTIFFs Finding of Facts:
June 11, 1991 - Stan Caterbone left the Stone Harbor Marina at approximately 12:30 am en
route to
Lancaster, Pa, to retrieve some files concerning the ISC cover-up. Upon driving north on
Route 47 (the normal route to Lancaster), approximately 10 miles outside the Cape May
county Courthouse, Stan Caterbone noticed a car following him closely. Suspicious, Stan
Caterbone decreased his speed from 55 mph to 35 mph, in order for the car to pass him.
However, the car remained directly behind, adjusting the speed accordingly. In an effort to
elude the car, without raising suspicion, Stan Caterbone gradually increased his speed, while
also increasing the distance between the cars, resulting in the loss of his taillights to the
ensuing vehicle - Because of the winding road, Stan Caterbone looked for an abrupt turn-off,
in hopes of dashing the eluding vehicle, by loosing sight of his taillights. There was little or no
traffic on the route during the early morning hours, and Stan Caterbone stopped at an
intersection, and noticed that the headlights of the ensuing vehicle were not visible in his rear
view mirror, meaning that his taillights were also not visible to the ensuing vehicle.
Immediately upon pulling from the intersection, Stan Caterbone noticed a narrow dirt road
that lead into a field of small trees, the perfect place to sit for the ensuing auto to pass him,
unnoticed. The ensuing vehicle pulled to the intersection, and continued north on route 47, in
the direction of Lancaster. Stan Caterbone sat in his vehicle a few minutes, until continuing
on his travel, north on Route 47. Approximately five (5) minutes later, a car traveling in
excess of SS mph, approached Stan Caterbone, traveling south on the same road (2 lanes)
As the two cars approached each other, and approximately 30 yards from reaching each
other, the approaching vehicle drove directly into the lane of Stan Caterbone, with its high
beams on, and continued straight for his vehicle, or what appeared to be a head-on-collision.
Stan Caterbone drove off of the berm of the road, missing a line of trees by less than 12
inches (eluding a life threatening disaster), and passed the vehicle that was still in the
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northbound lane, heading south. Stan Caterbone, shaking and sweating furiously, noticed the
cars brake lights go on, and the car apparently turned around, and began pursuing Stan
Caterbone again. Stan Caterbone drove as fast as he could to Route 55, hoping to find traffic
in order to hide and loose the pursuing car. Stan Caterbone arrived in Lancaster, at
approximately 3:00 am, and again noticed a car sitting in the parking lot of the vacant
"Sportsman's Den", at the intersection of the New Danville Pike and Prince Streets. Upon
driving west on Hershey Avenue, Stan Caterbone noticed the car following him. In an effort to
identify the license plate, Stan Caterbone made a few turns in the area of Hamilton Watch,
and followed the car heading north on S. West End Avenue. The car was a late model, gold
or tan, Cougar or possibly a Buick Park Avenue. Stan Caterbone watched the car increase his
speed, and finally changed directions and proceeded to his residence, and parked a few
blocks away, and walked through the woods, to his apartment in the Hershey Heritage
complex. Stan Caterbone then used a flashlight, in order not to reveal his presence, and
returned to his vehicle, sometime in the early morning, during daylight.
WHEREFORE, Plaintiff Stanley J. Caterbone/Advanced Media Group respectfully requests
that Plaintiffs Motion for Ex Parte Meeting with the Honorable Mary A. McLaughlin be
affirmed.
Respectfully submitted,

Stanley J. Caterbone, Pro Se Litigant


Dated: June 9, 2006
220 Stone Hill Road
Conestoga, PA 174516
717-431-8184
717-427-1821 facsimile
amgroup01@msn.com
www.amgglobalentertainmentgroup.com
.

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA

STANLEY J. CATERBONE,
Plaintiff
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v.

No. 05-CV-2288

LANCASTER COUNTY PRISON,


MANHEIM TOWNSHIP POLICE DEPARTMENT,
DEMANDED
STONE HARBOR POLICE DEPARTMENT,
AVALON POLICE DEPARTMENT,
COMMONWEALTH NATIONAL BANK (LC. MELLON BANK),
SOUTHERN REGIONAL POLICE DEPARTMENT,
LANCASTER COUNTY SHERIFFS DEPARTMENT,
FULTON BANK
Defendant

JURY TRIAL

ORDER

AND NOW, this - day of ,2006, upon consideration of Plaintiffs Motion for Ex Parte Meeting
with the Honorable Mary A. McLaughlin, and Fulton Bank's response thereto, it is hereby
ORDERED AND DECREED that the Motion is AFFIRMED.

BY THE COURT:

________________________________
Mary A. McLaughlin, J.

CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing Reply to Response to
Motion for Ex Parte Meeting has been served this 12th day of June, 2006, by first class mail,
Postage prepaid, upon:
Michael Donahue
Harbor Police Administration Building
9508 2nd Avenue
Stone Harbor. NJ 08247
Stephen Basse, Esquire
817 East Landis Avenue
Vineland, NJ 08360

Stuart A. Weiss, Esquire


George M. Gowen, 111, Esquire
Cozen O'Connor
1900 Market Street
Philadelphia, PA 1 9103

I HEREBY CERTIFY that a true and correct copy of the foregoing Reply to Response to
Motion for Ex Parte Meeting has been served in person to the offices below on this 12th day
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of June ,2006,:
Howard L. Kelin, Esquire
Kegel, Kelin, Almy & Grimm
24 North Lime Street
Lancaster, PA 17602

George T. Brubaker, Esquire


Hartman, Underhill & Brubaker, LLP
221 East Chestnut Street
Lancaster, PA 17602

Sfephanie Carfley, Esquire


Attorneys for Defendant Fulton Bank
126 East King Street
Lancaster, PA 17602-2893
(717) 299-5201

Respectfully submitted,

Stanley J. Caterbone, Pro Se Litigant


Dated: June 9, 2006
220 Stone Hill Road
Conestoga, PA 174516
717-431-8184
717-427-1821 facsimile
amgroup01@msn.com
www.amgglobalentertainmentgroup.com

June 13, 2006


Tuesday
12:00 AM - 12:30 AM

Judge Mary McLaughlin Memorandum and Order of June 13 2006

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE \ L E D CIVIL ACTION
LANCASTER COUNTY PRISON, et al . . hid2 c!- /i NO. 05-2288

MEMORANDUM AND ORDER


The pro se plaintiff has made numerous allegations against numerous defendants in his
eighty-seven page complaint
The Court will dismiss the complaint as to moving defendants Mellon Bank (named as
"Commonwealth National Bank"), Manheim Township Police Department, and Fulton Bank
for failure to state a claim. The Court will also dismiss the complaint as to non-moving
defendants Southern Regional Police Department, Stone Harbor Police Department, AValOn
Police Department, Lancaster County Prison and Lancaster County Sheriff's Department for
failure to serve the complaint and summons. I. Failure to State a Claim Each of the moving
defendants has moved to dismiss on the ground that the plaintiff has failed to state a timely
claim.' The United States Court of Appeals for the Third Circuit peh&K E R 1 The pro se
plaintiff has not opposed any @L&RB,-J~c motions to dismiss. By letter to the Court dated
March 2, 2006, request filed March 6, 2006, and letter to the Court dated April 4, 2006, Fulton
Bank, Manheim Township, and Mellon Bank respectively
requested that their motions be granted as uncontested, pursuant to Local Rule of Civil
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Procedure 7.l(c). The United States Court of Appeals for the ~hird Circuit has indicated,
however, that courts should not grant motions to dismiss against unrepresented parties
without undertaking a merits analysis: stackhouse v. ~azu;kiewicz, 951 F.2d 29, 30 (3d Cir.
1991).
defendants to raise a statute of limitations defense in a motion to dismiss under Rule 12(b)
(6) if the time-bar is apparent on the face of the complaint. Robinson v. Johnson, 313 F.3d
128, 135 (3d Cir. 2002).
The plaintiff's eighty-seven page complaint contains many allegations regarding numerous
persons and entities. The
plaintiff's sole allegation against Mellon Bank/Commonwealth National Bank, however, is that
it wrongfully repossessed the
plaintiff's airplane in July 1987.' According to the complaint, the Bank loaned the plaintiff
$97,000 towards the purchase of an
airplane in June 1987. The following month, before any payments were due, the Bank
allegedly repossessed the plane, with all of the plaintiff's personal and business files on
board. The plaintiff claims that the Bank sought to harm the plaintiff's business to reduce its
competition in the mortgage banking and financial services businesses, in violation of the
'lender liability laws." (compl. 25, 31, 34, 37, 83, 3.) I The plaintiff named "Commonwealth
National Bank (i.e. Mellon Bank)" as the defendant, but apparently attempted to effect service
by sending a copy of the complaint to "Legal Counsel, Mellon Bank, N.A." (Doc. No. 8).
According to Mellon Bank, Mellon formerly owned Commonwealth National. For the purposes
of its current motion, Mellon accepted the plaintiff's attribution of Commonwealth National's
actions to Mellon. (Mellon's Mot. to Dismiss Mem. at 1 n.1.) The Court assumes that the
plaintiff intended to name Mellon Bank as a defendant for the actions of Commonwealth
National Bank, and will consider and grant Mellon Bank's motion to dismiss as described. If
the plaintiff intended to sue only Commonwealth National Bank, however, the complaint
would be dismissed as to Commonwealth National Bank for failure to effect service.
The plaintiff has not explicitly asserted any causes of action against the Bank. Construing the
allegations in the
complaint in the light most favorable to the plaintiff, however, the plaintiff has arguably
asserted claims against the Bank for
conversion, replevin, trespass, fraud, breach of fiduciary duty, and/or breach of contract
arising out of the alleged reposse~sion. Plaintiffs bringing any of these claims must do so
within two or four years. See 42 Pa. C.S. 5 5524(3) and ( 7 ) (imposing two year statute of
limitations on any "action for taking, detaining or injuring personal property, including actions
for specific recovery thereof,'' and "[alny other action or proceeding to recover damages for
injury to person or property which is founded on negligent, intentional, or otherwise tortious
conduct or any other action or proceeding sounding in trespass, including deceit or fraud");
Glaziers & Glassworkers Union Local No. 252 Annuity Fund v. Newbridqe SeC., 93 F.3d
1171, 1186 (3d Cir. 1996) (a breach of fiduciary duty is tortious conduct, subject to a two year
statute of limitations) ; 42 Pa.C.S. 5525(a) (imposing four year statute of limitations on
actions based on written, express, or implied contracts). The plaintiff initiated this lawsuit in
May 2005, over seventeen years after the alleged repossession. It is clear from the face of
the complaint that the plaintiff's claims against the Bank are time-barred. I When considering
a motion to dismiss under Fed. R. Civ. P. 12(b) (61, a court accepts all facts and allegations
listed in the complaint as true and construes them in the light most favorable to the plaintiff.
H.J. Inc. v. Nw. Bell Tel. Co., 492 U.S. 229, 249 (1989); Rocks v. City of ~hiladel~hia8,6 8
F.2d 644, 645 (3d Cir. 1989) .
With respect to the Manheim Township Police Department, the plaintiff has alleged that: (11
when the plaintiff asked for
help regarding the repossession of his airplane in July 1987, the Department's response was
to ask "what bank branch repossessed your aircraft"; (2) on or around September 3, 1987,
Detective Larry Sigler falsely charged the plaintiff with making terroristic threats; (3) on the
same day, after the plaintiff was arrested for taking his own files from his own office,
Detective Larry Mathias refused to take his statement or inform him of the charges against
him, and unnamed officers used excessive force against him; and (4) in January 1991, a Lt.
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Madenspacher called the plaintiff regarding his letter to the Department of Defense about
alleged blackmail occurring in 1987, but failed to attend a scheduled meeting. (Compl. at 5-6,
33, 39-40, 59.) Again construing the allegations in the complaint in the light most favorable to
the plaintiff, he has arguably asserted: (1) assault, battery, false imprisonment, false arrest,
malicious prosecution and/or malicious abuse of process claims arising out of the charges
and arrest in September 1987; and (2) civil rights claims under 42 U.S.C. 5 1983, arising out
of the Department's actions or inactions in July and September 1987, and January 1991. The
plaintiff's claims against the Manheim Township Police Department are also time-barred.
Plaintiffs must bring any claims for intentional torts such as assault, battery, false
imprisonment, false arrest, malicious prosecution and/or malicious abuse of process within
two years. 42 Pa. C.S. 5524(1). Plaintiffs must also bring any 5 1983 civil rights claims
within two years. Garvin v. Citv of Philadel~hia, 354 F.3d 215, 220 (3d Cir. 2003) (1 1983
claims are subject to Pennsylvania's two statute of limitations governing personal injury
actions). The plaintiff initiated this lawsuit more than fourteen years after his last alleged
interaction with the Manheim Township Police Department.' Finally, the plaintiff has alleged
that Fulton Bank: (1) was involved in some sort of collusion in 1987; ( 2 ) embezzled $5,000
from his checking account in 1990, did not credit the
account for more than 60 days, and never credited the lost interest income; and ( 3 ) refused
to allow the plaintiff's brother, Thomas Caterbone, to deposit a check in 1996, on the grounds
that no funds were available, and was therefore responsible for his suicide/wrongful death
later that year. The plaintiff has also alleged that, in February 2005: (a) he had difficulty
accessing certain account statements and was told that he had to pay for copies of those
statements; and (b) a bank customer representative informed him that when a customer
wants to deposit a check for which no funds are available, the bank must give the customer a
choice between depositing the check or waiting until there are funds. Finally, the plaintiff has
included in his complaint what appears to be a May 6, 2005 article from the Intelligencer
Journal that names Fulton Bank as a limited partner in Penn Square Partners, an alleged
stakeholder in a proposed Lancaster County Convention Center. (Compl. at 6 ( a ) , 55-56,
80-81, 86.) 4 The complaint states that the plaintiff "rescinded efforts for due process
immediately after loosing [sic] his home and business," but it also states that the plaintiff
"began to review his case" again in October 1990. (Compl. at 5 6 . )
The plaintiff has arguably asserted claims against Fulton Bank for: (1) breach of fiduciary
duty, fraud, and/or unjust
enrichment, for its actions toward the plaintiff in 1990; and (2) fraud or wrongful death, for its
actions toward the plaintiff's
brother in 1996. These claims are time barred as well. As explained above, there is a twoyear statute of limitations on
actions for breach of fiduciary duty or fraud. 42 Pa. C.S. $3 5524(3) and (7). There is a fouryear statute of limitations on
unjust enrichment, which is a quasi-contractual claim. 42 Pa. C.S. 5525(4). Finally, there is
a two-year statue of limitations on actions for wrongful death. 42 Pa. C.S. S 5524(2). The
plaintiff's reference to "collusion in 1987" on the
part of Fulton Bank is too vague to state a claim for anything, even under the liberal notice
pleading standards. Likewise, the
plaintiff's allegations regarding his ability to access certain account statements in February
2005 does not state any recognizable claim. The plaintiff does not allege that it was illegal for
Fulton Bank to charge to copies of account statements, or fraudulent for Fulton Bank to say
that it charged. The plaintiff states only that he found the charge "disheartening," in light of
the non-profit status of the account holder. (Compl. at 81.) Similarly, the plaintiff's allegations
regarding Fulton Bank's policy on depositing checks with insufficient funds, and its status as a
limited partner in Penn Square Partners, do not state any claim of wrongdoing against Fulton
Bank.
11. Failure to Serve the Comolaint The Court will also dismiss the complaint as to the non
moving defendants because the plaintiff has failed to properly serve the complaint and
summons, and has therefore failed to compl) with the Court's January 5 , 2006 Order. The
plaintiff bears the burden of showing that service was valid. Grand Entertainment Grouw, Ltd.
v. Star Media Sales, Inc., 988 F.2d 476, 488 (3d Cir. 1993) . The plaintiff has not submitted
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any evidence that he attempted to serve the Southern Regional Police Department. For each
of the other defendants, the plaintiff filed a "Certificate of Service," certifying that the plaintiff
mailed "the foregoing pleadingn to certain a named or unnamed individual(s) associated with
the defendant, via certified mail. The plaintiff's attempts at service were improper as to the
Lancaster County (Pennsylvania) Prison and Sheriff's Department, and the Stone Harbor and
Avalon (New Jersey) Police department^.^ Each of these defendants is an arm of a
governmental organization. Rule 4(j) (2) of the Federal Rules of Civil Procedure
provides : Service upon a state, municipal corporation or other governmental organization
subject to suit shall be
effected by deliverinq a copy of the summons and of the complaint to its chief executive
officer or by serving the summons and complaint in the manner prescribed bv 5 Mellon Bank,
Manheim Township Police Department, and Fulton Bank also moved to dismiss for improper
service. Because the Court is dismissing the complaint as against them for failure to state a
claim, the Court need not decide the sufficiency of service as to these defendants.
The law of that state for the service of summons or other like process upon any such
defendant. Fed. R. Civ. P. 4 (j) (2) (emphasis added) . Rule 422(b) of the Pennsylvania Rules
of Civil Procedure provides : Service of original process upon a political subdivision shall be
made by handins a cowv to (1) an agent duly authorized by the political subdivision to receive
service of process, or (2) the person in charge at the office of the defendant, (3) the mayor, or
the president, chairman, secretary or clerk of the tax levying body thereof . . . . Pa. R. Civ. 0.
422(b) (emphasis added) Here, the plaintiff attempted to serve the Lancaster County Prison
and Sheriff's Department by mailing a copy of the complaint to Howard L. Kelin at Kegel,
Kelin, Almy & Grimm, LLP in Lancaster, Pennsylvania.' The plaintiff's attempt at service was
improper under the federal and Pennsylvania rules of civil procedure because a copy of the
complaint and summons were not personally served upon an appropriate person. The New
Jersey Court Rules also provide that the primary method of obtaining in personam jurisdiction
over a 'public bodyu defendant is to personally serve a copy of the summons and complaint
on the public body's presiding officer, clerk or secretary, or on a person authorized by
appointment or by law to receive service of process on the public body's behalf. N.J. Court 6
By letter dated February 2, 2006 (on which the plaintiff was cc'd), Mr. Kelin informed the
Court that he had been appointed Interim Special Counsel to Lancaster County, but was not
an agent duly authorized to receive service of process.
R. 4 :4-4 (a) (1) and (8) . New Jersey permits plaintiffs to make service by mail, but provides
that service by mail is only
effective if the defendant answers the complaint or otherwise appears in response thereto. If
defendant does not answer or
appear within 60 days following mailed service, the plaintiff must make personal service. N.J.
Court R. 4:4-4(c). The plaintiff attempted to serve the Stone Harbor Police Department by
mailing the complaint to Michael Donahue, an attorney
at law in Stone Harbor, New Jersey, on January 17, 2006. The plaintiff also attempted to
serve the Avalon Police epartment by mailing the complaint to Stephen Basse, an attorney at
law in Vineland, New Jersey, on that date. The plaintiff's attempts to make service by mail
were ineffective under federal or New Jersey law because neither the Stone Harbor or Avalon
Police Departments have answered or otherwise responded to the complaint in well over 60
days. Moreover, the plaintiff has not shown that Mr. Donahue or Mr. Basse are the
appropriate persons to receive service for these public bodies.

June 14, 2006


Wednesday
7:30 AM - 8:00 AM

Manor Township Police - Report Rules Book Stolen

Talked to Officer Carolyn, would not give incident number.


2:00 PM - 2:30 PM

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All Day

PA Attorney General Gus Dorn

Said to put it in writing, said ..

TOM CORBET
ATTORNEY GENERAL
COMMONWEALTH OF PENNSYLVANIA

OFFICE OF ATTORNEY GENERAL


RUREAII OF CONSUMER PROTECTION
Harrisburg Regional Office
301 Chestnut Street, Suite 105
Harrisburg, PA 17101
(7171 787-7109
May 31, 2006
Stdn Caterbone
220 Stone Hill Road
Zonestoya, PA 17516
Ref: Yarnell Securities, A-002594-2006
Dedr Mr. Caterbone:
The erlclosed correspondence is related to your complaint filed
with the Bureau
01 Consumer Protection.
Please provide us with a written response to this correspondence
within
fifteen (15) days of the date of this letter so that we may further
evaluate
your complaint.
If we do not hear from you in a reasonable amount of time, we will
assume that
you do not wish to pursue the matter further.
Thank you for your cooperation and attention to this matter.
Very truly yours,
H. Gus Dorn

P/&,
Senior Agent
ml
Enclosure
25C

9:30 AM - 10:00 AM

SRP PLAINTIFFS RESPONSIVE BRIEF TO PRELIMINARY OBJECTIONS -- Lancaster County Courthouse filed

IN THE COURT OF COMMON PLEAS


OF LANCASTER COUNTY, PENNSYLVANIA
STANLEY J. CATERBONE
ADVANCED MEDIA GROUP,
Plaintiff
v.
ACTION

CIVIL DIVISION, CIVIL


NO. CI-06-03401

SOUTHERN REGIONAL POLICE


DEPARTMENT, CHIEF JOHN A.
FIORILL, OFFICER BUZZER and
OFFICER FEDOR,
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Defendants
PLAINTIFFS RESPONSIVE BRIEF TO
PRELIMINARY OBJECTIONS
DEFENDANTS PRELIMINARY OBJECTIONS
I.

Procedural History:

The Plaintiff, proceeding pro se, commenced this action with the filing of a civil complaint on
April 11, 2006. The complaint was not served upon the Defendants. An amended complaint
was thereafter filed by Plaintiff on April 28, 2006. Plaintiff filed a certificate of service on May
15,2006, confirming that he provided copies of the amended complaint to the Defendants via
Firs1 Class mail, on May 10, 2006. The Defendants, acting through their undersigned
counsel, have filed preliminary objections to the amended complaint. The instant brief is filed
in support of same.
II. Factual Background:
Based upon the limited averments set forth in the amended complaint, which must be
construed as true for purposes of considering the instant preliminary objections, the relevant
facts are as follows. On undescribed occasions, unidentified officers communicated or
alleged to unknown persons that Plaintiff suffers from unspecified mental disorders. Plaintiff
avers that these communications or allegations were not true, and resulted in unspecified
harm to his reputation and business. The amended complaint further avers that unidentified
officers physically abused and harassed Plaintiff at his home. On April 5, 2006, Plaintiff
claims to have been confined and attacked by Defendant Officer Buzzer, who made false
statements of unknown content to unidentified authorities and/or unidentified persons
affiliated with Lancaster General Hospital. Finally, the amended complaint avers that
Defendant Officer Buser was responsible for an envelope containing $750.00 in cash of
unspecified origin, ownership or disposition.
III. Questions presented:
A. Whether the amended complaint must be dismissed pursuant to Pa. R.Civ.P. 1028(a)(l),
for improper service of process and lack of personal jurisdiction over the Defendants?
[Suggested Answer: Yes]
B. Whether the amended complaint must be dismissed pursuant to Pa. R.Civ.P. 1028(a)(2)
for failure to conform to law or rule of court?
[Suggested Answer: Yes]
C. Whether the amended complaint must be dismissed pursuant to Pa. R.Civ.P. 1028(a)(3)
for lack of factual specificity?
[Suggested Answer: Yes]
D. Whether the amended complaint must be dismissed pursuant to Pa. R.Civ.P. 1028(a)(4)
for failure to state a claim or cause of action for which relief may be granted?
[Suggested Answer: Yes]
IV. Argument:
A. The amended complaint must be dismissed pursuant to Pa.R.Civ.P.
1028(a)(l), for improper service of process and lack of personal jurisdiction over the
Defendants.
Pa.R.Civ.P. 1028(a)(l) permits the filing of preliminary objections for lack of personal
jurisdiction over the Defendants, and for improper service of a complaint. No affidavit of
service has been filed with respect to the original complaint. The certificate of service filed by
Plaintiff on May 15, 2006, indicates that the amended complaint was served upon the
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Defendants by First Class Mail.
Pa.R.Civ.P. 400(a) provides that, with certain exceptions that have no bearing on this
proceeding, original service of process must be made only by the Sheriff. With respect to
service upon individuals, the mandates of Pa.R.Civ.P. 402 apply. Rule 402 does not
authorize original service of process by mailing a document to the Defendant's work address.
With respect to to service upon Defendant Police Commission, the mandates of Pa.R.Civ.P.
422 apply. Rule 422 does not authorize original service of process via mail. Plaintiff failed to
effectuate valid service of original process of the complaint or the amended complaint.
Therefore, this Honorable Court lacks personal jurisdiction over the Defendants. Defendants'
preliminary objections must be sustained, and Plaintiffs amended complaint should be
dismissed with prejudice.
B. The amended complaint must be dismissed pursuant to Pa.R.Civ.P.
1028(a)(2), for failure to conform to law or rule of court.
Pa.R.Civ.P. 1028(a)(2) provides for the filing of preliminary objections for failure of a pleading
to conform to law or rule of court. The Pennsylvania rules of court, specifically Pa.R.Civ.P.
1019(a), requires fact pleading. 2A Anderson, Pennsylvania Civil Practice 1019.1 (1969).
"The purpose of [1019(a)] is to require the pleader to disclose the 'material facts' sufficient to
enable the adverse party to prepare his case." Landau v. Western Pennsylvania National
Bank,
282 A.2d 335, 339 (Pa. 1971). A complaint therefore must do more than "give the defendant
fair notice of what the plaintiffs claim is and the grounds upon which it rests." Conley v.
Gibson, 355
U.S. 41, 47 (1957) (statement made in reference to Fed.R.Civ.P. &(a)). It should formulate
the issues by fully summarizing the material facts. "Material facts" are "ultimate facts," i.e.,
those facts essential to support the claim. Allegations will withstand challenge under 1019(a)
only if:
(1) they contain averments of all of the facts the plaintiff will eventually have to prove in order
to recover, 1 Goodrich-Amram, Procedural Rules Service 5 1019(a)-2; D'Antona v. Hampton
Grinding Wheel Co., 310 A.2d 307 (Pa. Super. 1973); and (2) they are "sufficiently specific so
as to enable defendant to prepare his defense," Commonwealth Environmental Pollution
Strike Force v. Jeanette, 305 A.2d 774, 776 (Pa. Cmwlth. 1973). In the instant matter, the
amended complaint fails to plead the material facts upon which Plaintiffs seven causes of
action are based. Count I purports to assert a claim for libel. Plaintiff avers only that, on
several occasions, "officers" falsely communicated or alleged that Plaintiff suffers from
mental disorders, resulting in harm to Plaintiffs reputation, emotional state, and business.
Plaintiff fails to aver facts establishing: when each alleged communication was made; the
content of each alleged communication; to whom the alleged communications were made; by
whom each alleged communication was made; or the nature of harm allegedly sustained as
the result of each alleged communication. Count I fails to comport with Pennsylvania's fact
pleading requirements, as a matter of law.
Count I purports to set forth a claim for slander. plaintiff avers only in a conclusory fashion
that "Police Department did slander plaintiff and his business." There are facts pled regarding
the basis for this claim, such that Plaintiff clearly has not pled the necessary facts that he will
need to prove in order to prevail. Count II fails to comport with Rule 1019(a), as a matter of
law.
In Count III, Plaintiff avers only that "officers" harassed plaintiff at his home on several
occasions. Plaintiff fails to plead facts establishing: when; how; or by whom the harassment
was purportedly committed. Nor does he describe the nature of the harassment or the injury
sustained as the result of same. Count III fails to comport with Pennsylvania's fact pleading
requirements Count IV purports to assert a claim for "police brutality." Plaintiff alleges only
that, on several occasions, "officers did physically abuse plaintiff without just cause and with
malice."
Plaintiff fails to state: when the alleged abuse occurred; where it allegedly occurred; the
nature of the alleged abuse; who actually committed the alleged abuse; or the nature of the
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harm allegedly sustained. Count IV fails to comport with Pennsylvania's fact pleading
requirements. Count V alleges a claim for "Undo {sic} Influence." Plaintiff contends, "Police
Department is causing plaintiff problems and is obstructing plaintiffs right to due process"
regarding federal litigation that Plaintiff is currently pursuing in the Eastern District Court of
Pennsylvania. There are no facts pled regarding the bases for this claim, and Defendants
cannot presume to guess what Plaintiff is referring to in this claim. Count V fails to comport
with Pennsylvania's fact pleading requirements as a matter of law. Count VI asserts a claim
for false imprisonment. Plaintiff claims that, on April 5, 2006, Officer Buser attacked plaintiff
and made false statements about Plaintiff. The amended complaint fails to plead any facts
regarding the nature of Plaintiffs purported confinement or imprisonment on April 5,2006. Nor
does Plaintiff plead any facts necessary to meet the elements of a false imprisonment claim.
Count VI fails to comport with Rule 1019(a), and must be Dismissed.
In Count VII, it appears that Plaintiff is attempting to accuse Officer Buser of the crime of
theft by deception, premised upon Buser's alleged responsibility for an envelope containing
$750.00. Even assuming that Plaintiff could assert a civil claim for theft by deception, which
is denied, there are no facts asserted in the amended complaint to support this claim. Count
VII fails to comport with Pennsylvania's fact pleading requirements. The amended complaint
is factually deficient and violative of Pennsylvania's fact pleading requirements. Defendants'
preliminary objections must he sustained. Plaintiffs amended complaint should be dismissed.
C. The amended complaint must be dismissed pursuant to Pa.R.Civ.P.
1028(a)(3), for lack of specificity.
Plaintiffs amended complaint contains only conclusory averments of tortuous acts by the
Defendants, and fails to set forth with the requisite factual specificity the facts upon which his
claims are based. The amended complaint is vague and lacks the requisite specificity for
Defendants to be able to formulate a response to same. For all of the reasons set forth in
Argument B, which is incorporated by reference in its entirety herein, Defendants' preliminary
objections must be sustained and the amended complaint dismissed.
D. The amended complaint must be dismissed pursuant to Pa. R.Civ.P.
1028(a)(4) for failure to state a claim or cause of action for which
relief may be granted.
Pa.R.Civ.P. 1028(a)(4) authorizes the filing of preliminary objections for legal
insufficiency of a pleading. Plaintiffs amended complaint fails to state a claim or cause of
action against the Defendants for which relief may be granted, as a matter of law.
Counts I and II
Counts I and II of Plaintiffs amended complaint fail to state a claim or cause of action for libel
or slander for which relief may be granted as to any Defendant. Libel is maliciously written or
printed material which tends to blacken a person's reputation or to expose the person to
public hatred, contempt, or ridicule or injure the person in his or her business or profession.
Slander is maliciously spoken material which has the same effect. Both libel and slander are
forms of defamation. In an action for defamation, the plaintiff must prove: (1) the defamatory
character of the communication; (2) publication by the defendant; (3) its application to the
plaintiff; (4) understanding by the recipient of its defamatory meaning; (5) understanding by
the recipient of it as intended to be applied to the plaintiff; (6) special harm to the plaintiff; and
(7) abuse of a conditionally privileged occasion. Rush v. Philadelvhia Newspapers. Inc., 732
A.2d 648, 65 1-52 (Pa.Super. 1999) (quoting Maier v. Maretti, 671 A.2d 701, 704 (Pa.Super.
1995)). A complaint alleging defamatory conduct must, on its face, identify specifically the
content of the alleged defamatory statements made, by whom they were made, and to whom
they were made. Ersek v. Township of Soringfield, 822 F.Supp. 218 (E.D. Pa. 1993),
reconsideration denied, ajf'd 102 F.3d
79, rehearing denied; Moses v. McWilliams, 549 A.2d 950 (Pa. Super. 1988), appeal denied
558 A.2d 532. The amended complaint fails to state a claim or cause of action for libel or
slander upon which relief may be granted, as a matter of law. Defendants' preliminary
objections to the claims asserted in Counts I and II of the amended complaint must be
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sustained.
Count III
Count III of Plaintiffs amended complaint fails to state a claim or cause of action for
harassment for which relief may be granted as to any Defendant. The amended complaint
fails to plead any facts regarding any acts by any Defendants forming the basis for a
harassment claim, and fails to state a claim or cause of action for harassment for which relief
may be granted.
Count IV
Count IV of Plaintiffs amended complaint fails to state a claim or cause of action for "police
brutality" for which relief may be granted as to any Defendant. Plaintiff contends in a
conclusory fashion that "officers" physically abused him without just cause and with malice.
There is no averment anywhere in the amended complaint of any specific act by any
individual defendant capable of constituting assault, battery, or any other intentional tort.
Defendants' preliminary objections must be sustained.
Count V
Count V of Plaintiffs amended complaint fails to state a claim or cause of action for which
relief may be granted. Plaintiff contends in a conclusory fashion that Defendant "Police
Department" is "causing plaintiff problems" and "obstructing plaintiffs right to due process"
regarding litigation filed by Plaintiff in federal court. Defendants respectfully submit that Count
V of the complaint fails to state a viable claim or cause of action against Defendant "Police
Department" or any other Defendant for which relief may be granted.
Count VI
Count VI of the amended complaint purports to assert a claim for the tort of false
imprisonment. The elements of false imprisonment are (1) the detention of another person,
and (2) the unlawfulness of such detention. The amended complaint is devoid of factual
averments capable of establishing that Officer Buser detained Plaintiff, or that the Officer
lacked authority to do so. The alleged "malicious attack" of Plaintiff and "false statements" to
authorities, in addition to beiig factually unsupported, are irrelevant to the false imprisonment
claim. The amended complaint fails to state a claim or cause of action for false imprisonment
for which relief may be granted against Officer Buser or against any other Defendant, and
must be dismissed.
Count VII
Plaintiff avers in Count VII that Officer Buser committed theft by deception. It is not apparent
from the averments of the amended complaint exactly how this purportedly occurred, as
Plaintiff has not alleged any facts capable of supporting this claim. However, the offense of
theft by deception is codified at 18 Pa.C.S. 5 3922. Plaintiffs civil complaint fails to state a
claim or cause of action against Defendant Officer Buser for which relief may granted with
respect to this criminal offense. Accordingly, Count VII of the amended complaint fails to
state claim for which relief may be granted, and must be dismissed with prejudice.
V. Conclusion:
For all of the foregoing reasons, the plaintiffs amended complaint fails to conform to law or
rule of court, and fails to state any claims or causes of action for which relief may be granted.
Accordingly, Defendants' preliminary objections must be sustained, and Plaintiffs amended
complaint must be dismissed with prejudice. In the alternative, Plaintiff should be ordered to
file a second amended complaint within 20 days, complying with Pennsylvania's fact pleading
requirements. His failure to do so should result in dismissal of this case with prejudice.
PLAINTIFFS HISTORICAL BACKGROUND & FOUNDATION FOR FILING
The following is copy of an Affidavit that was filed on January 31, 1998 in the chambers of
Honorable Stewart Dalzell in a desperate attempt for due process of the issues contained
herein. In November of 1997 the PLAINTIFF sought the counsel of Ms. Christina Rainville
while employed by the firm of Schnader, Harrison, Segal and Lewis.
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attempt by the PLAINTIFF of seeking competent legal counsel. Ms. Rainville acknowledged
and communicated to the PLAINTIFF that the firm had barred her from representing any
additional clients from Lancaster County shortly after the PLAINTIFFs solicitation; which she
had plenty of solicitations from other potential Lancaster County clients. In the document
titled Plaintiff Finding of Facts it is clearly documented that the PLAINTIFF did attempt to
solicit and retain several competent lawyers since 1987, all of who displayed conflicts of
interests, and some went so far as to violate rules of ethics concerning client/attorney
privilege. PLAINTIFFs filing as Pro Se Litigant was the only alternative available that would
protect and preserve the PLAINTIFFs legal standing and right to due process. The following
excerpt from the Affidavit will demonstrate to the court a factual account of the events that
precluded and provided the Plaintiff the legal standing to file the original complaint on May
16, 2005.
AFFIDAVIT OF 1998 TO HONORABLE JUDGE STEWART DALZELL
I, Stanley J. Caterbone being duly sworn according to law, make the following affidavit
concerning the years during which I was maliciously and purposefully mentally abused,
subjected to a massive array of prosecutorial misconduct, while enduring an exhaustive
fight for the sovereignty of my constitutional rights, shareholder rights, civil liberties, and
right of due access to the law. I will detail a deliberate attempt on my life, in 1991, exhibiting
the dire consequences of this complaint. These allegations are substantiated through a
preponderance of evidence including but not limited to over 10,000 documents, over 50
hours of recorded conversations, transcripts, and archived on several digital mediums. A
Findings of Facts is attached herewith providing merits and the facts pertaining to this
affidavit.

These issues and incidents identified herein have attempted to conceal my

disclosures of International Signal & Control, Plc. However, the merits of the violations
contained in this affidavit will be proven incidental to the existence of any conspiracy.
The plaintiff protests the courts for all remedial actions mandated by law.

Financial

considerations would exceed $1 million.


These violations began on June 23, 1987 while I was a resident and business owner in
Lancaster County, Pennsylvania, and have continued to the present. These issues are a
direct consequence of my public disclosure of fraud within International Signal & Control,
Plc., of County of Lancaster, Pennsylvania, which were in compliance with federal and state
statutes governing my shareholder rights granted in 1983, when I purchased my interests in
International Signal & Control., Plc.. I will also prove intentional undo influence against
family and friends towards compromising the credibility of myself, with malicious and selfserving accusations of insanity.

I conclude that the courts must provide me with fair

access to the law, and most certainly, the process must void any technical deficiencies
found in this filing as being material to the conclusions. Such arrogance by the Courts
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would only challenge the judicial integrity of our Constitution.
1

The activities contained herein may raise the argument of fair disclosure regarding the
scope of law pertaining to issues and activities compromising the National Security of the
United States. The Plaintiff will successfully argue that due to the criminal record of
International Signal & Control, including the illegal transfer of arms and technologies to
an end user Iraq, the laws of disclosure must be forfeited by virtue that said activities
posed a direct compromise to the National Security of the United States.; the plaintiff will
argue that his public allegations of misconduct within the operations of International
Signal & Control, Plc., as early as June of 1987 ;demonstrated actions were proven to
protect the National Security of the United States.. The activities of International Signal
& Control, Pls., placed American troops in harms way. The plaintiffs actions should have
taken the American troops out of harms way causing the activities of the International
Signal & Control, Plc., to cease and desist. .
All activities contained herein have greatly compromised the National Security of the
United States, and the laws of jurist prudence must apply towards the Plaintiffs intent and
motive of protecting the rights of his fellow citizens. Had the plaintiff been protected
under the law, and subsequently had the law enforcement community of the
Commonwealth of Pennsylvania, and the County of Lancaster administer justice, United
States troops may have been taken out of harms way, as a direct result of ceasing the
operations of International Signal & Control, Plc., in as early as 1987.

2. The plaintiff will successfully prove that the following activities and the prosecutorial
misconduct were directed at intimidating the plaintiff from continuing his public
disclosures regarding illegal activities within International Signal & Control, Plc,. On June
23, 1998, International Signal & Control, Plc was negotiating for the $1.14 billion merger
with Ferranti International, of England.

Such disclosures threatened the integrity of

International Signal & Controls organization, and Mr. James Guerin himself, ,
consequently resulting in adverse financial considerations to all parties if such disclosures
provided any reason to question the integrity of the transaction, which later became the
central criminal activity in the in The United States District Court For The Eastern District
Of Pennsylvania.
3

The plaintiff will prove that undo influence was also responsible for the adverse
consequences and fabricated demise of his business enterprises and personal holdings.
The dire consequences of the plaintiffs failed business dealings will demonstrate and
substantiate financial incentive and motive. Defendants responsible for administering
undo influence and interference in the plaintiffs business and commercial enterprises had
financial interests. The Commonwealth of Pennsylvania as a taxing authority, Lancaster

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County had a great investment whos demise would facilitate grave consequences to its
economic development. .

Commonwealth National Bank (Mellon) would have less

competition in the mortgage banking business and other financial services, violating the
lender liability laws.

The Steinman Enterprises, Inc., would loose a pioneer in the

information technologies industries, and would protect the public domain from truthful
disclosure.

The plaintiff will also provide significant evidence of said perpetrators

violating common laws governing intellectual property rights.


4. Given the plaintiffs continued and obstructed right to due process of the law, beginning in
June of 1987 and continuing to the present, the plaintiff must be given fair access to the
law with the opportunity for any and all remedial actions required under the federal and
state statutes. The plaintiff will successfully argue his rights to the courts to rightfully
claim civil actions with regards to the totality of these activities, so described in the
following Findings of Facts, regardless of any statute of limitations. Given the plaintiffs
genuine efforts for due process has been inherently and maliciously obstructed, the
courts must provide the opportunity for any and all remedial actions deserving to the
plaintiff.
5. Under current laws, the plaintiffs intellectual capacity has been exploited as means of
discrediting the plaintiffs disclosures and obstructing the plaintiffs right to due process of
the law.

The plaintiff has always had the proper rights under federal and state laws to

enter into contract. The logic and reason towards the plaintiffs activities and actions are
a matter of record, demonstrated in the Findings of Facts, contained herein..
The plaintiff will argue and successfully prove that the inherent emotional consequences
to all of the activities contained herein have resulted in Post Traumatic Stress Syndrome.
The evidence of the stress subjected to the plaintiff, will prove to be the direct result of
the activities contained herein, rather than the exhibited behavior of any mental
deficiency the plaintiff may or may not have. The courts must provide for the proper
interpretations of all laws, irrespective of the plaintiffs alleged intellectual capacity. The
plaintiff successfully argue that his mental capacity is of very little legal consequence, if
any; other than in its malicious representations used to diminish the credibility of the
plaintiff.
6. The plaintiff will demonstrate that the following incidents of illegal prosecutions were
purposefully directed at intimidating the plaintiff from further public disclosure into the
activities of International Signal & Control, Plc., consequently obstructing the plaintiffs
access to due process of the law. Due to the fact that these activities to which the
plaintiffs perpetrators were protecting were illegal activities, the RICO statutes would
apply.
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To this day, the plaintiff has never been convicted of any crime with the exception of 2
speeding tickets. The following report identifies 34 instances of prosecutorial misconduct
during the prosecutions and activities beginning on June 23, 1987 and continuing to
today.
7

Given the preponderance of evidence associated with this affidavit, the courts must
conclude that In The United States District Court For The Eastern District of
Pennsylvania, Federal Judge Stuart Dalzalls findings of April 14, 1997, in the Lisa
Lambert case identifying acts of Prosecutorial Misconduct, now, by virtue of this affidavit,
now discloses evidence of a bona fide pattern of prosecutorial misconduct, in the
Commonwealth of Pennsylvania and in the County of Lancaster. Criminal law must now
determine if these disclosures would warrant investigations of a possible criminal
enterprise. This affidavit is of material interest to the Lambert case, for the very fact that
this affidavit compromises the very same integrity of the court, which would tip the scales
of justice even further from the peoples deserving rights..
In the truthfulness of this affidavit, The Commonwealth must concede Lisa Michelle
Lambert to balance the scales of justice, which no other act could accomplish. The
Commonwealth must yield the criminal culpability of Lisa Michelle Lambert to the
superior matter of restoring the integrity to the courts; by its own admission of
wrongdoing, assuring the peoples of its commitment to administer equalities of justice,
not inequalities of justice. Balancing the scales of justice. Anything less, would take the
full scope of jurisdiction out of the boundaries of our laws, negating our democracy and
impugning the Constitution of the United States. The plaintiff must be restored to whole.
I was not defending the criminal culpability of Lisa Michelle Lambert, but rather assaulting
the judicial integrity of the Lancaster County Judicial System, from first-hand experience;
and making the point that such conduct eludes every major stakeholder from the truth
and justice prosecution and defense alike.

PLAINTIFFS REPLY
PLAINTIFF readily recognized the deficiencies in the filing and the lack of a formal complaint
adhering to the Pennsylvania Rules of Civil Procedure. On May 26, 2006 PLAINTIFF
discovered that files, documents, and memos material to this civil complaint had been
illegally removed from his office and responded by filing incident report with the Southern
Regional Police Department. On June 5th, 2006 PLAINTIFF delivered a letter to the opposing
counsel, Ms. Cheryl Kovaly, of the law firm of Lavery, Fahaerty, Young, and Patterson,
requesting an amended agreed upon schedule to file this reply. The opposing counsel denied
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that request. On June 6th, 2006 PLAINTIFF filed a Motion for Continuance with the Court and
is awaiting for a ruling. On June 13, 2006, PLAINTIFF had the Pennsylvania Rules of Civil
Procedure stolen from his automobile and reported that incident to the Manor Township
Police Department on the same day.
PLAINTIFF will provide sufficient evidence that the Defendants have caused considerable
harm to the PLAINTIFF resulting in the inability to adequately address the Court for this
complaint and also several civil actions filed in the United States District Court for the Eastern
District of Pennsylvania.
PLAINTIFFs right to due process is being undermined and diminished by the actions of the
Defendants and lack of Police Protection as afforded by law.

CONCLUSION
PLAINTIFF again will request that the Court allow the PLAINTIFF to address the issues
contained in the original Civil Action in a fair and equitable manner as prescribed by law.
WHEREFORE, Plaintiff Stanley J. Caterbone respectfully requests that Plaintiffs Motion for a
Continence of at least 30 days filed before the courts on June 6th, 2006 be granted.
Respectfully submitted,

Stanley J. Caterbone, Pro Se Litigant


Dated: June 9, 2006
220 Stone Hill Road
Conestoga, PA 174516
717-431-8184
717-427-1821 facsimile
amgroup01@msn.com
www.amgglobalentertainmentgroup.com
.

IN THE COURT OF COMMON PLEAS


OF LANCASTER COUNTY, PENNSYLVANIA
STANLEY J. CATERBONE
ADVANCED MEDIA GROUP,
Plaintiff
v.
ACTION

CIVIL DIVISION, CIVIL


NO. CI-06-03401

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SOUTHERN REGIONAL POLICE


DEPARTMENT, CHIEF JOHN A.
FIORILL, OFFICER BUZZER and
OFFICER FEDOR,
Defendants
CERTIFICATE OF SERVICE
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, PA 19516
Reply to Defendants Preliminary Objections
Service To:
Attorney for Defendants:
Lavery, Faherty, Young & Patterson
Cheryl L. Kovaly, Esquire
225 Market Street, Suite 304
P.O. Box 1245
Harrisburg, PA 17108-1245
(717) 233-6633 (telephone)
(717) 233-7003 (facsimile)
Certificates of Service were sent by United States 1st Class Mail on June 15, 2006.
By, ________________________________
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
amgorup01@msn.com

10:00 AM - 10:30 AM

Hearing DJ Ballentine Caterbone v. Comcast -- 30 Locust Street,Lancaster,PA

Comcast failed to show, Office said I will receive new notice, I said I win by defualt
judgement. I was not notified by mail or any new hearing date. Nothing in mail today either.
1:00 PM - 1:30 PM

Harleysvill - PA Insruance Dept. Jim John Phone Call

Vonney Shutt out of office, supervisor, took call, said he would investigate and get back to
me in a few days.

June 16, 2006


Friday
8:00 AM - 8:30 AM

Whisleblower email to All Contacts & Hugh Ward

1 of 5 6/16/2006 8:12 AM
Making Your Whistleblower Case Succeed
Just because you know about
government fraud doesn't mean
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anyone will do anything about it.
Many people, including some
lawyers, believe all they need to do
is file a whistleblower (qui tam)
complaint, then sit back to wait for
the money truck to arrive.
Unfortunately it doesn't happen that
way.
You'll need attorneys who have
litigated big whistleblower cases
before. You'll need investigators
who know how to prove fraud. Only James, Hoyer, a
law firm comprising former federal and state
prosecutors, as well as former FBI agents working
full-time as investigators, has the experience to turn
your knowledge into results. To contact our law firm,
click here.
After a whistleblower lawsuit is filed, it is assigned at
random to a government lawyer. That lawyer has
many assignments competing for his or her attention,
including other qui tam complaints (qui tam is a Latin
legal phrase synonymous with whistleblower). If your
complaint happens to catch the attorney's attention, it
might be forwarded to an investigative agency. Often
that agency is the FBI. The FBI agent's desk will be
even more crowded with assignments than the
government lawyer's. And so on. Then you will get a
routine request for a 6-month extension, to allow for
more investigation. And then another. You won't know
if your case is dead or alive. Worse yet, another
whistleblower who files a complaint similar to yours,
but better-managed, may end up getting the credit
and the reward for a recovery that should have been
yours.
The Well-Managed Claim
James, Hoyer has learned through experience that a
claim of significant fraud, if properly investigated and
managed, will always command attention. At our
Page 2 of 39 06/16/2006
3 of 5 6/16/2006 8:12 AM
of disallowed expenses and insufficient
documentation. Federal student loan and financial aid
programs, which include Pell grants, Stafford loans
and PLUS loans, continue to be another area ripe for
abuse. The Washington Post reported that "among
federal programs, the student loan system has been
highly vulnerable to fraud over the years."
Basic Workings of Whistleblower Complaints
If you have specific evidence a company is
defrauding the government you can file a legal action
in the government's name. The whistleblower
receives a percentage of any money the government
recovers. This is done under the qui tam provisions of
the Federal False Claims Act. The whistleblower
(known as a qui tam relator) files a lawsuit. The U.S.
Department of Justice has 60 days to investigate the
claim and decide whether it will join in the legal
action. If the government joins the lawsuit, the
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whistleblower can receive between 15 and 25 percent
of the recovery depending on the value of the
information provided. Similar laws exist in Florida and
other states.
There are some important restrictions on federal qui
tam actions. You cannot recover if another
whistleblower has already filed an action based on
the same information. Income tax fraud is not
covered under federal law. Information that has
already been made public cannot serve as the basis
of a whistleblower claim. To contact our law firm, click
here.
Recent News about a Few of Our Whistleblower
Cases:
Sarasota Herald Tribune - Couple settles
Medicare fraud suit
St. Petersburg Times - Whistle blower's share
of settlement could grow
What You Can Do to Prepare Your Whistleblower
Claim
What we learn from you in our meetings is crucial.
Our initial interviews are especially important. In
preparing for our meeting, please write down
everything you know about the fraud you have
discovered. Then keep a pad handy to record
thoughts as they come to you. Here are key areas:
Click here to print this page.
gfedc Describe where documents, computer files and
Mastercard Fees
Membership Clubs
Mortgage Excessive Escrow
Mortgage - Service
Problems
North Shore Agency
Threats
Oxmoor House
Complaints
Private Mortgage
Insurance Scam
Promissory Note
Fraud
Prudential Variable
Annuity Complaints
Retirement Scams
Securities
Arbitration
Securities Fraud
Stop-Smoking Drug
Deaths
Strong Capital
Market Timing
Sulzer Hip Implant
Toxic Mold
Universal Variable
Life
Unsolicited
Faxes/Pre-Recorded
Calls
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Unsuitable
Investment Fraud
Variable Annuity
Fraud
Vioxx
Page 3 of 39 06/16/2006
4 of 5 6/16/2006 8:12 AM
other proof are located.
gfedc List names of all the others who have knowledge
of the matter. Classify them as friendly or not, still
employed or not.
gfedc Identify supervisors and others who likely would
have participated in wrongdoing.
gfedc Describe the complete corporate structure of the
offending company.
gfedc Make a list of the specific laws, regulations, rules
and procedures that you believe were violated.
Writing too much is better than not writing enough.
Don't exaggerate. It's never wrong to say you don't
know something. Don't hold back the facts that might
harm the case, or any negatives in your own
background we need to know everything. Your
success depends on it.
James Hoyer Contact Form
Your Name:*
E-Mail Address:*
Verify E-Mail:*
Phone Number: Address Line 1
Address Line 2
City
State
Zip
Preferred Contact: Email 6
Your Message:*
To submit your message, press submit or press
reset to clear all information:
Wells Fargo
undisclosed fees on
mortgages
Why Credit Reports
for Auto Insurance?
Why Credit Reports
for Homeowners
Insurance?
Zyban Deaths
Stan J. Caterbone
amgroup01@msn.com
amgroup01@msn.com
717 431 8184
220 Stone Hill Road
Conestoga
PA
17516
see U.S. Case no. 05-2288 re:
International Signal & Control
$1 billion fruad prosecuted in 1991
sealed will forward
Page 4 of 39 06/16/2006
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The Federal False Claims Act
TITLE 31. MONEY AND FINANCE
SUBTITLE III. FINANCIAL MANAGEMENT
CHAPTER 37. CLAIMS
SUBCHAPTER III. CLAIMS AGAINST THE UNITED STATES GOVERNMENT
31 USCS 3729-33
3729. False claims
3730. Civil actions for false claims
3731. False claims procedure
3732. False claims jurisdiction
3733. Civil investigative demands
3729. False claims
(a) Liability for certain acts. Any person who-(1) knowingly presents, or causes to be presented, to an officer or employee of
the United States Government or a member of the Armed Forces of the United
States a false or fraudulent claim for payment or approval;
(2) knowingly makes, uses, or causes to be made or used, a false record or
statement to get a false or fraudulent claim paid or approved by the Government;
(3) conspires to defraud the Government by getting a false or fraudulent claim
allowed or paid;
(4) has possession, custody, or control of property or money used, or to be used,
by the Government and, intending to defraud the Government or willfully to
conceal the property, delivers, or causes to be delivered, less property than the
amount for which the person receives a certificate or receipt;
(5) authorized to make or deliver a document certifying receipt of property used,
or to be used, by the Government and, intending to defraud the Government,
makes or delivers the receipt without completely knowing that the information on
the receipt is true;
Page 6 of 39 06/16/2006
(6) knowingly buys, or receives as a pledge of an obligation or debt, public
property from an officer or employee of the Government, or a member of the
Armed Forces, who lawfully may not sell or pledge the property; or
(7) knowingly makes, uses, or causes to be made or used, a false record or
statement to conceal, avoid, or decrease an obligation to pay or transmit money
or property to the Government, is liable to the United States Government for a
civil penalty of not less than $5,000 and not more than $10,000, plus 3 times the
amount of damages which the Government sustains because of the act of that
person, except that if the court finds that-(A) the person committing the violation of this subsection furnished officials of the
United States responsible for investigating false claims violations with all
information known to such person about the violation within 30 days after the
date on which the defendant first obtained the information;
(B) such person fully cooperated with any Government investigation of such
violation; and
(C) at the time such person furnished the United States with the information
about the violation, no criminal prosecution, civil action, or administrative action
had commenced under this title with respect to such violation, and the person did
not have actual knowledge of the existence of an investigation into such violation;
the court may assess not less than 2 times the amount of damages which the
Government sustains because of the act of the person. A person violating this
subsection shall also be liable to the United States Government for the costs of a
civil action brought to recover any such penalty or damages.
(b) Knowing and knowingly defined. For purposes of this section, the terms
"knowing" and "knowingly" mean that a person, with respect to information-(1) has actual knowledge of the information;
(2) acts in deliberate ignorance of the truth or falsity of the information; or
(3) acts in reckless disregard of the truth or falsity of the information, and no
proof of specific intent to defraud is required.
(c) Claim defined. For purposes of this section, "claim" includes any request or
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demand, whether under a contract or otherwise, for money or property which is
made to a contractor, grantee, or other recipient if the United States Government
provides any portion of the money or property which is requested or demanded,
or if the Government will reimburse such contractor, grantee, or other recipient
for any portion of the money or property which is requested or demanded.
Page 7 of 39 06/16/2006
(d) Exemption from disclosure. Any information furnished pursuant to
subparagraphs (A) through (C) of subsection (a) shall be exempt from disclosure
under section 552 of title 5.
(e) Exclusion. This section does not apply to claims, records, or statements made
under the Internal Revenue Code of 1986.
3730. Civil actions for false claims
(a) Responsibilities of the Attorney General. The Attorney General diligently shall
investigate a violation under section 3729. If the Attorney General finds that a
person has violated or is violating section 3729, the Attorney General may bring
a civil action under this section against the person.
(b) Actions by private persons.
(1) A person may bring a civil action for a violation of section 3729 for the person
and for the United States Government. The action shall be brought in the name
of the Government. The action may be dismissed only if the court and the
Attorney General give written consent to the dismissal and their reasons for
consenting.
(2) A copy of the complaint and written disclosure of substantially all material
evidence and information the person possesses shall be served on the
Government pursuant to Rule 4(d)(4) of the Federal Rules of Civil Procedure.
The complaint shall be filed in camera, shall remain under seal for at least 60
days, and shall not be served on the defendant until the court so orders. The
Government may elect to intervene and proceed with the action within 60 days
after it receives both the complaint and the material evidence and information.
(3) The Government may, for good cause shown, move the court for extensions
of the time during which the complaint remains under seal under paragraph (2).
Any such motions may be supported by affidavits or other submissions in
camera. The defendant shall not be required to respond to any complaint filed
under this section until 20 days after the complaint is unsealed and served upon
the defendant pursuant to Rule 4 of the Federal Rules of Civil Procedure.
(4) Before the expiration of the 60-day period or any extensions obtained under
paragraph (3), the Government shall-(A) proceed with the action, in which case the action shall be conducted by the
Government; or
Page 8 of 39 06/16/2006
(B) notify the court that it declines to take over the action, in which case the
person bringing the action shall have the right to conduct the action.
(5) When a person brings an action under this subsection, no person other than
the Government may intervene or bring a related action based on the facts
underlying the pending action.
(c) Rights of the parties to qui tam actions.
(1) If the Government proceeds with the action, it shall have the primary
responsibility for prosecuting the action, and shall not be bound by an act of the
person bringing the action. Such person shall have the right to continue as a
party to the action, subject to the limitations set forth in paragraph (2).
(2) (A) The Government may dismiss the action notwithstanding the objections of
the person initiating the action if the person has been notified by the Government
of the filing of the motion and the court has provided the person with an
opportunity for a hearing on the motion.
(B) The Government may settle the action with the defendant notwithstanding the
objections of the person initiating the action if the court determines, after a
hearing, that the proposed settlement is fair, adequate, and reasonable under all
the circumstances. Upon a showing of good cause, such hearing may be held in
camera.
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(C) Upon a showing by the Government that unrestricted participation during the
course of the litigation by the person initiating the action would interfere with or
unduly delay the Government's prosecution of the case, or would be repetitious,
irrelevant, or for purposes of harassment, the court may, in its discretion, impose
limitations on the person's participation, such as-(i) limiting the number of witnesses the person may call;
(ii) limiting the length of the testimony of such witnesses;
(iii) limiting the person's cross-examination of witnesses; or
(iv) otherwise limiting the participation by the person in the litigation.
(D) Upon a showing by the defendant that unrestricted participation during the
course of the litigation by the person initiating the action would be for purposes of
harassment or would cause the defendant undue burden or unnecessary
expense, the court may limit the participation by the person in the litigation.
(3) If the Government elects not to proceed with the action, the person who
initiated the action shall have the right to conduct the action. If the Government
Page 9 of 39 06/16/2006
so requests, it shall be served with copies of all pleadings filed in the action and
shall be supplied with copies of all deposition transcripts (at the Government's
expense). When a person proceeds with the action, the court, without limiting the
status and rights of the person initiating the action, may nevertheless permit the
Government to intervene at a later date upon a showing of good cause.
(4) Whether or not the Government proceeds with the action, upon a showing by
the Government that certain actions of discovery by the person initiating the
action would interfere with the Government's investigation or prosecution of a
criminal or civil matter arising out of the same facts, the court may stay such
discovery for a period of not more than 60 days. Such a showing shall be
conducted in camera. The court may extend the 60-day period upon a further
showing in camera that the Government has pursued the criminal or civil
investigation or proceedings with reasonable diligence and any proposed
discovery in the civil action will interfere with the ongoing criminal or civil
investigation or proceedings.
(5) Notwithstanding subsection (b), the Government may elect to pursue its claim
through any alternate remedy available to the Government, including any
administrative proceeding to determine a civil money penalty. If any such
alternate remedy is pursued in another proceeding, the person initiating the
action shall have the same rights in such proceeding as such person would have
had if the action had continued under this section. Any finding of fact or
conclusion of law made in such other proceeding that has become final shall be
conclusive on all parties to an action under this section. For purposes of the
preceding sentence, a finding or conclusion is final if it has been finally
determined on appeal to the appropriate court of the United States, if all time for
filing such an appeal with respect to the finding or conclusion has expired, or if
the finding or conclusion is not subject to judicial review.
(d) Award to qui tam plaintiff.
(1) If the Government proceeds with an action brought by a person under
subsection (b), such person shall, subject to the second sentence of this
paragraph, receive at least 15 percent but not more than 25 percent of the
proceeds of the action or settlement of the claim, depending upon the extent to
which the person substantially contributed to the prosecution of the action.
Where the action is one which the court finds to be based primarily on
disclosures of specific information (other than information provided by the person
bringing the action) relating to allegations or transactions in a criminal, civil, or
administrative hearing, in a congressional, administrative, or Government
[General] Accounting Office report, hearing, audit, or investigation, or from the
news media, the court may award such sums as it considers appropriate, but in
no case more than 10 percent of the proceeds, taking into account the
significance of the information and the role of the person bringing the action in
advancing the case to litigation. Any payment to a person under the first or
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second sentence of this paragraph shall be made from the proceeds. Any such
person shall also receive an amount for reasonable expenses which the court
finds to have been necessarily incurred, plus reasonable attorneys' fees and
costs. All such expenses, fees, and costs shall be awarded against the
defendant.
(2) If the Government does not proceed with an action under this section, the
person bringing the action or settling the claim shall receive an amount which the
court decides is reasonable for collecting the civil penalty and damages. The
amount shall be not less than 25 percent and not more than 30 percent of the
proceeds of the action or settlement and shall be paid out of such proceeds.
Such person shall also receive an amount for reasonable expenses which the
court finds to have been necessarily incurred, plus reasonable attorneys' fees
and costs. All such expenses, fees, and costs shall be awarded against the
defendant.
(3) Whether or not the Government proceeds with the action, if the court finds
that the action was brought by a person who planned and initiated the violation of
section 3729 upon which the action was brought, then the court may, to the
extent the court considers appropriate, reduce the share of the proceeds of the
action which the person would otherwise receive under paragraph (1) or (2) of
this subsection, taking into account the role of that person in advancing the case
to litigation and any relevant circumstances pertaining to the violation. If the
person bringing the action is convicted of criminal conduct arising from his or her
role in the violation of section 3729, that person shall be dismissed from the civil
action and shall not receive any share of the proceeds of the action. Such
dismissal shall not prejudice the right of the United States to continue the action,
represented by the Department of Justice.
(4) If the Government does not proceed with the action and the person bringing
the action conducts the action, the court may award to the defendant its
reasonable attorneys' fees and expenses if the defendant prevails in the action
and the court finds that the claim of the person bringing the action was clearly
frivolous, clearly vexatious, or brought primarily for purposes of harassment.
(e) Certain actions barred.
(1) No court shall have jurisdiction over an action brought by a former or present
member of the armed forces under subsection (b) of this section against a
member of the armed forces arising out of such person's service in the armed
forces.
(2) (A) No court shall have jurisdiction over an action brought under subsection
(b) against a Member of Congress, a member of the judiciary, or a senior
executive branch official if the action is based on evidence or information known
to the Government when the action was brought.
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(B) For purposes of this paragraph, "senior executive branch official" means any
officer or employee listed in paragraphs (1) through (8) of section 101(f) of the
Ethics in Government Act of 1978 (5 U.S.C. App.).
(3) In no event may a person bring an action under subsection (b) which is based
upon allegations or transactions which are the subject of a civil suit or an
administrative civil money penalty proceeding in which the Government is
already a party.
(4) (A) No court shall have jurisdiction over an action under this section based
upon the public disclosure of allegations or transactions in a criminal, civil, or
administrative hearing, in a congressional, administrative, or Government
[General] Accounting Office report, hearing, audit, or investigation, or from the
news media, unless the action is brought by the Attorney General or the person
bringing the action is an original source of the information.
(B) For purposes of this paragraph, "original source" means an individual who
has direct and independent knowledge of the information on which the
allegations are based and has voluntarily provided the information to the
Government before filing an action under this section which is based on the
information.
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(f) Government not liable for certain expenses. The Government is not liable for
expenses which a person incurs in bringing an action under this section.
(g) Fees and expenses to prevailing defendant. In civil actions brought under this
section by the United States, the provisions of section 2412(d) of title 28 shall
apply.
(h) Any employee who is discharged, demoted, suspended, threatened,
harassed, or in any other manner discriminated against in the terms and
conditions of employment by his or her employer because of lawful acts done by
the employee on behalf of the employee or others in furtherance of an action
under this section, including investigation for, initiation of, testimony for, or
assistance in an action filed or to be filed under this section, shall be entitled to
all relief necessary to make the employee whole. Such relief shall include
reinstatement with the same seniority status such employee would have had but
for the discrimination, 2 times the amount of back pay, interest on the back pay,
and compensation for any special damages sustained as a result of the
discrimination, including litigation costs and reasonable attorneys' fees. An
employee may bring an action in the appropriate district court of the United
States for the relief provided in this subsection.
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3731. False claims procedure
(a) A subpena [subpoena] requiring the attendance of a witness at a trial or
hearing conducted under section 3730 of this title may be served at any place in
the United States.
(b) A civil action under section 3730 may not be brought-(1) more than 6 years after the date on which the violation of section 3729 is
committed, or
(2) more than 3 years after the date when facts material to the right of action are
known or reasonably should have been known by the official of the United States
charged with responsibility to act in the circumstances, but in no event more than
10 years after the date on which the violation is committed, whichever occurs
last.
(c) In any action brought under section 3730, the United States shall be required
to prove all essential elements of the cause of action, including damages, by a
preponderance of the evidence.
(d) Notwithstanding any other provision of law, the Federal Rules of Criminal
Procedure, or the Federal Rules of Evidence, a final judgment rendered in favor
of the United States in any criminal proceeding charging fraud or false
statements, whether upon a verdict after trial or upon a plea of guilty or nolo
contendere, shall estop the defendant from denying the essential elements of the
offense in any action which involves the same transaction as in the criminal
proceeding and which is brought under subsection (a) or (b) of section 3730.
3732. False claims jurisdiction
(a) Actions under section 3730. Any action under section 3730 may be brought in
any judicial district in which the defendant or, in the case of multiple defendants,
any one defendant can be found, resides, transacts business, or in which any act
proscribed by section 3729 occurred. A summons as required by the Federal
Rules of Civil Procedure shall be issued by the appropriate district court and
served at any place within or outside the United States.
(b) Claims under state law. The district courts shall have jurisdiction over any
action brought under the laws of any State for the recovery of funds paid by a
State or local government if the action arises from the same transaction or
occurrence as an action brought under section 3730.
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3733. Civil investigative demands
(a) In general.
(1) Issuance and service. Whenever the Attorney General has reason to believe
that any person may be in possession, custody, or control of any documentary
material or information relevant to a false claims law investigation, the Attorney
General may, before commencing a civil proceeding under section 3730 or other
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false claims law, issue in writing and cause to be served upon such person, a
civil investigative demand requiring such person-(A) to produce such documentary material for inspection and copying,
(B) to answer in writing written interrogatories with respect to such documentary
material or information,
(C) to give oral testimony concerning such documentary material or information,
or
(D) to furnish any combination of such material, answers, or testimony.
The Attorney General may not delegate the authority to issue civil investigative
demands under this subsection. Whenever a civil investigative demand is an
express demand for any product of discovery, the Attorney General, the Deputy
Attorney General, or an Assistant Attorney General shall cause to be served, in
any manner authorized by this section, a copy of such demand upon the person
from whom the discovery was obtained and shall notify the person to whom such
demand is issued of the date on which such copy was served.
(2) Contents and deadlines.
(A) Each civil investigative demand issued under paragraph (1) shall state the
nature of the conduct constituting the alleged violation of a false claims law which
is under investigation, and the applicable provision of law alleged to be violated.
(B) If such demand is for the production of documentary material, the demand
shall-(i) describe each class of documentary material to be produced with such
definiteness and certainty as to permit such material to be fairly identified;
(ii) prescribe a return date for each such class which will provide a reasonable
period of time within which the material so demanded may be assembled and
made available for inspection and copying; and
Page 14 of 39 06/16/2006
(iii) identify the false claims law investigator to whom such material shall be made
available.
(C) If such demand is for answers to written interrogatories, the demand shall-(i) set forth with specificity the written interrogatories to be answered;
(ii) prescribe dates at which time answers to written interrogatories shall be
submitted; and
(iii) identify the false claims law investigator to whom such answers shall be
submitted.
(D) If such demand is for the giving of oral testimony, the demand shall-(i) prescribe a date, time, and place at which oral testimony shall be commenced;
(ii) identify a false claims law investigator who shall conduct the examination and
the custodian to whom the transcript of such examination shall be submitted;
(iii) specify that such attendance and testimony are necessary to the conduct of
the investigation;
(iv) notify the person receiving the demand of the right to be accompanied by an
attorney and any other representative; and
(v) describe the general purpose for which the demand is being issued and the
general nature of the testimony, including the primary areas of inquiry, which will
be taken pursuant to the demand.
(E) Any civil investigative demand issued under this section which is an express
demand for any product of discovery shall not be returned or returnable until 20
days after a copy of such demand has been served upon the person from whom
the discovery was obtained.
(F) The date prescribed for the commencement of oral testimony pursuant to a
civil investigative demand issued under this section shall be a date which is not
less than seven days after the date on which demand is received, unless the
Attorney General or an Assistant Attorney General designated by the Attorney
General determines that exceptional circumstances are present which warrant
the commencement of such testimony within a lesser period of time.
(G) The Attorney General shall not authorize the issuance under this section of
more than one civil investigative demand for oral testimony by the same person
unless the person requests otherwise or unless the Attorney General, after
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investigation, notifies that person in writing that an additional demand for oral
Page 15 of 39 06/16/2006
testimony is necessary. The Attorney General may not, notwithstanding section
510 of title 28, authorize the performance, by any other officer, employee, or
agency, of any function vested in the Attorney General under this subparagraph.
(b) Protected material or information.
(1) In general. A civil investigative demand issued under subsection (a) may not
require the production of any documentary material, the submission of any
answers to written interrogatories, or the giving of any oral testimony if such
material, answers, or testimony would be protected from disclosure under-(A) the standards applicable to subpoenas or subpoenas duces tecum issued by
a court of the United States to aid in a grand jury investigation; or
(B) the standards applicable to discovery requests under the Federal Rules of
Civil Procedure, to the extent that the application of such standards to any such
demand is appropriate and consistent with the provisions and purposes of this
section.
(2) Effect on other orders, rules, and laws. Any such demand which is an express
demand for any product of discovery supersedes any inconsistent order, rule, or
provision of law (other than this section) preventing or restraining disclosure of
such product of discovery to any person. Disclosure of any product of discovery
pursuant to any such express demand does not constitute a waiver of any right
or privilege which the person making such disclosure may be entitled to invoke to
resist discovery of trial preparation materials.
(c) Service; jurisdiction.
(1) By whom served. Any civil investigative demand issued under subsection (a)
may be served by a false claims law investigator, or by a United States marshal
or a deputy marshal, at any place within the territorial jurisdiction of any court of
the United States.
(2) Service in foreign countries. Any such demand or any petition filed under
subsection (j) may be served upon any person who is not found within the
territorial jurisdiction of any court of the United States in such manner as the
Federal Rules of Civil Procedure prescribe for service in a foreign country. To the
extent that the courts of the United States can assert jurisdiction over any such
person consistent with due process, the United States District Court for the
District of Columbia shall have the same jurisdiction to take any action respecting
compliance with this section by any such person that such court would have if
such person were personally within the jurisdiction of such court.
(d) Service upon legal entities and natural persons.
Page 16 of 39 06/16/2006
(1) Legal entities. Service of any civil investigative demand issued under
subsection (a) or of any petition filed under subsection (j) may be made upon a
partnership, corporation, association, or other legal entity by-(A) delivering an executed copy of such demand or petition to any partner,
executive officer, managing agent, or general agent of the partnership,
corporation, association, or entity, or to any agent authorized by appointment or
by law to receive service of process on behalf of such partnership, corporation,
association, or entity;
(B) delivering an executed copy of such demand or petition to the principal office
or place of business of the partnership, corporation, association, or entity; or
(C) depositing an executed copy of such demand or petition in the United States
mails by registered or certified mail, with a return receipt requested, addressed to
such partnership, corporation, association, or entity at its principal office or place
of business.
(2) Natural persons. Service of any such demand or petition may be made upon
any natural person by-(A) delivering an executed copy of such demand or petition to the person; or
(B) depositing an executed copy of such demand or petition in the United States
mails by registered or certified mail, with a return receipt requested, addressed to
the person at the person's residence or principal office or place of business.
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(e) Proof of service. A verified return by the individual serving any civil
investigative demand issued under subsection (a) or any petition filed under
subsection (j) setting forth the manner of such service shall be proof of such
service. In the case of service by registered or certified mail, such return shall be
accompanied by the return post office receipt of delivery of such demand.
(f) Documentary material.
(1) Sworn certificates. The production of documentary material in response to a
civil investigative demand served under this section shall be made under a sworn
certificate, in such form as the demand designates, by-(A) in the case of a natural person, the person to whom the demand is directed,
or
(B) in the case of a person other than a natural person, a person having
knowledge of the facts and circumstances relating to such production and
authorized to act on behalf of such person.
Page 17 of 39 06/16/2006
The certificate shall state that all of the documentary material required by the
demand and in the possession, custody, or control of the person to whom the
demand is directed has been produced and made available to the false claims
law investigator identified in the demand.
(2) Production of materials. Any person upon whom any civil investigative
demand for the production of documentary material has been served under this
section shall make such material available for inspection and copying to the false
claims law investigator identified in such demand at the principal place of
business of such person, or at such other place as the false claims law
investigator and the person thereafter may agree and prescribe in writing, or as
the court may direct under subsection (j)(1). Such material shall be made so
available on the return date specified in such demand, or on such later date as
the false claims law investigator may prescribe in writing. Such person may, upon
written agreement between the person and the false claims law investigator,
substitute copies for originals of all or any part of such material.
(g) Interrogatories. Each interrogatory in a civil investigative demand served
under this section shall be answered separately and fully in writing under oath
and shall be submitted under a sworn certificate, in such form as the demand
designates, by-(1) in the case of a natural person, the person to whom the demand is directed,
or
(2) in the case of a person other than a natural person, the person or persons
responsible for answering each interrogatory.
If any interrogatory is objected to, the reasons for the objection shall be stated in
the certificate instead of an answer. The certificate shall state that all information
required by the demand and in the possession, custody, control, or knowledge of
the person to whom the demand is directed has been submitted. To the extent
that any information is not furnished, the information shall be identified and
reasons set forth with particularity regarding the reasons why the information was
not furnished.
(h) Oral examinations.
(1) Procedures. The examination of any person pursuant to a civil investigative
demand for oral testimony served under this section shall be taken before an
officer authorized to administer oaths and affirmations by the laws of the United
States or of the place where the examination is held. The officer before whom the
testimony is to be taken shall put the witness on oath or affirmation and shall,
personally or by someone acting under the direction of the officer and in the
officer's presence, record the testimony of the witness. The testimony shall be
taken stenographically and shall be transcribed. When the testimony is fully
Page 18 of 39 06/16/2006
transcribed, the officer before whom the testimony is taken shall promptly
transmit a copy of the transcript of the testimony to the custodian. This
subsection shall not preclude the taking of testimony by any means authorized
by, and in a manner consistent with, the Federal Rules of Civil Procedure.
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(2) Persons present. The false claims law investigator conducting the
examination shall exclude from the place where the examination is held all
persons except the person giving the testimony, the attorney for and any other
representative of the person giving the testimony, the attorney for the
Government, any person who may be agreed upon by the attorney for the
Government and the person giving the testimony, the officer before whom the
testimony is to be taken, and any stenographer taking such testimony.
(3) Where testimony taken. The oral testimony of any person taken pursuant to a
civil investigative demand served under this section shall be taken in the judicial
district of the United States within which such person resides, is found, or
transacts business, or in such other place as may be agreed upon by the false
claims law investigator conducting the examination and such person.
(4) Transcript of testimony. When the testimony is fully transcribed, the false
claims law investigator or the officer before whom the testimony is taken shall
afford the witness, who may be accompanied by counsel, a reasonable
opportunity to examine and read the transcript, unless such examination and
reading are waived by the witness. Any changes in form or substance which the
witness desires to make shall be entered and identified upon the transcript by the
officer or the false claims law investigator, with a statement of the reasons given
by the witness for making such changes. The transcript shall then be signed by
the witness, unless the witness in writing waives the signing, is ill, cannot be
found, or refuses to sign. If the transcript is not signed by the witness within 30
days after being afforded a reasonable opportunity to examine it, the officer or
the false claims law investigator shall sign it and state on the record the fact of
the waiver, illness, absence of the witness, or the refusal to sign, together with
the reasons, if any, given therefor.
(5) Certification and delivery to custodian. The officer before whom the testimony
is taken shall certify on the transcript that the witness was sworn by the officer
and that the transcript is a true record of the testimony given by the witness, and
the officer or false claims law investigator shall promptly deliver the transcript, or
send the transcript by registered or certified mail, to the custodian.
(6) Furnishing or inspection of transcript by witness. Upon payment of reasonable
charges therefor, the false claims law investigator shall furnish a copy of the
transcript to the witness only, except that the Attorney General, the Deputy
Attorney General, or an Assistant Attorney General may, for good cause, limit
such witness to inspection of the official transcript of the witness' testimony.
Page 19 of 39 06/16/2006
(7) Conduct of oral testimony.
(A) Any person compelled to appear for oral testimony under a civil investigative
demand issued under subsection (a) may be accompanied, represented, and
advised by counsel. Counsel may advise such person, in confidence, with
respect to any question asked of such person. Such person or counsel may
object on the record to any question, in whole or in part, and shall briefly state for
the record the reason for the objection. An objection may be made, received, and
entered upon the record when it is claimed that such person is entitled to refuse
to answer the question on the grounds of any constitutional or other legal right or
privilege, including the privilege against self-incrimination. Such person may not
otherwise object to or refuse to answer any question, and may not directly or
through counsel otherwise interrupt the oral examination. If such person refuses
to answer any question, a petition may be filed in the district court of the United
States under subsection (j)(1) for an order compelling such person to answer
such question.
(B) If such person refuses to answer any question on the grounds of the privilege
against self-incrimination, the testimony of such person may be compelled in
accordance with the provisions of part V of title 18 [18 USCS 6001 et seq.].
(8) Witness fees and allowances. Any person appearing for oral testimony under
a civil investigative demand issued under subsection (a) shall be entitled to the
same fees and allowances which are paid to witnesses in the district courts of the
United States.
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(i) Custodians of documents, answers, and transcripts.
(1) Designation. The Attorney General shall designate a false claims law
investigator to serve as custodian of documentary material, answers to
interrogatories, and transcripts of oral testimony received under this section, and
shall designate such additional false claims law investigators as the Attorney
General determines from time to time to be necessary to serve as deputies to the
custodian.
(2) Responsibility for materials; disclosure.
(A) A false claims law investigator who receives any documentary material,
answers to interrogatories, or transcripts of oral testimony under this section shall
transmit them to the custodian. The custodian shall take physical possession of
such material, answers, or transcripts and shall be responsible for the use made
of them and for the return of documentary material under paragraph (4).
(B) The custodian may cause the preparation of such copies of such
documentary material, answers to interrogatories, or transcripts of oral testimony
Page 20 of 39 06/16/2006
as may be required for official use by any false claims law investigator, or other
officer or employee of the Department of Justice, who is authorized for such use
under regulations which the Attorney General shall issue. Such material,
answers, and transcripts may be used by any such authorized false claims law
investigator or other officer or employee in connection with the taking of oral
testimony under this section.
(C) Except as otherwise provided in this subsection, no documentary material,
answers to interrogatories, or transcripts of oral testimony, or copies thereof,
while in the possession of the custodian, shall be available for examination by
any individual other than a false claims law investigator or other officer or
employee of the Department of Justice authorized under subparagraph (B). The
prohibition in the preceding sentence on the availability of material, answers, or
transcripts shall not apply if consent is given by the person who produced such
material, answers, or transcripts, or, in the case of any product of discovery
produced pursuant to an express demand for such material, consent is given by
the person from whom the discovery was obtained. Nothing in this subparagraph
is intended to prevent disclosure to the Congress, including any committee or
subcommittee of the Congress, or to any other agency of the United States for
use by such agency in furtherance of its statutory responsibilities. Disclosure of
information to any such other agency shall be allowed only upon application,
made by the Attorney General to a United States district court, showing
substantial need for the use of the information by such agency in furtherance of
its statutory responsibilities.
(D) While in the possession of the custodian and under such reasonable terms
and conditions as the Attorney General shall prescribe-(i) documentary material and answers to interrogatories shall be available for
examination by the person who produced such material or answers, or by a
representative of that person authorized by that person to examine such material
and answers; and
(ii) transcripts of oral testimony shall be available for examination by the person
who produced such testimony, or by a representative of that person authorized
by that person to examine such transcripts.
(3) Use of material, answers, or transcripts in other proceedings. Whenever any
attorney of the Department of Justice has been designated to appear before any
court, grand jury, or Federal agency in any case or proceeding, the custodian of
any documentary material, answers to interrogatories, or transcripts of oral
testimony received under this section may deliver to such attorney such material,
answers, or transcripts for official use in connection with any such case or
proceeding as such attorney determines to be required. Upon the completion of
any such case or proceeding, such attorney shall return to the custodian any
such material, answers, or transcripts so delivered which have not passed into
Page 21 of 39 06/16/2006
the control of such court, grand jury, or agency through introduction into the
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record of such case or proceeding.
(4) Conditions for return of material. If any documentary material has been
produced by any person in the course of any false claims law investigation
pursuant to a civil investigative demand under this section, and-(A) any case or proceeding before the court or grand jury arising out of such
investigation, or any proceeding before any Federal agency involving such
material, has been completed, or
(B) no case or proceeding in which such material may be used has been
commenced within a reasonable time after completion of the examination and
analysis of all documentary material and other information assembled in the
course of such investigation,
the custodian shall, upon written request of the person who produced such
material, return to such person any such material (other than copies furnished to
the false claims law investigator under subsection (f)(2) or made for the
Department of Justice under paragraph (2)(B)) which has not passed into the
control of any court, grand jury, or agency through introduction into the record of
such case or proceeding.
(5) Appointment of successor custodians. In the event of the death, disability, or
separation from service in the Department of Justice of the custodian of any
documentary material, answers to interrogatories, or transcripts of oral testimony
produced pursuant to a civil investigative demand under this section, or in the
event of the official relief of such custodian from responsibility for the custody and
control of such material, answers, or transcripts, the Attorney General shall
promptly-(A) designate another false claims law investigator to serve as custodian of such
material, answers, or transcripts, and
(B) transmit in writing to the person who produced such material, answers, or
testimony notice of the identity and address of the successor so designated.
Any person who is designated to be a successor under this paragraph shall
have, with regard to such material, answers, or transcripts, the same duties and
responsibilities as were imposed by this section upon that person's predecessor
in office, except that the successor shall not be held responsible for any default
or dereliction which occurred before that designation.
(j) Judicial proceedings.
Page 22 of 39 06/16/2006
(1) Petition for enforcement. Whenever any person fails to comply with any civil
investigative demand issued under subsection (a), or whenever satisfactory
copying or reproduction of any material requested in such demand cannot be
done and such person refuses to surrender such material, the Attorney General
may file, in the district court of the United States for any judicial district in which
such person resides, is found, or transacts business, and serve upon such
person a petition for an order of such court for the enforcement of the civil
investigative demand.
(2) Petition to modify or set aside demand.
(A) Any person who has received a civil investigative demand issued under
subsection (a) may file, in the district court of the United States for the judicial
district within which such person resides, is found, or transacts business, and
serve upon the false claims law investigator identified in such demand a petition
for an order of the court to modify or set aside such demand. In the case of a
petition addressed to an express demand for any product of discovery, a petition
to modify or set aside such demand may be brought only in the district court of
the United States for the judicial district in which the proceeding in which such
discovery was obtained is or was last pending. Any petition under this
subparagraph must be filed-(i) within 20 days after the date of service of the civil investigative demand, or at
any time before the return date specified in the demand, whichever date is
earlier, or
(ii) within such longer period as may be prescribed in writing by any false claims
law investigator identified in the demand.
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(B) The petition shall specify each ground upon which the petitioner relies in
seeking relief under subparagraph (A), and may be based upon any failure of the
demand to comply with the provisions of this section or upon any constitutional or
other legal right or privilege of such person. During the pendency of the petition
in the court, the court may stay, as it deems proper, the running of the time
allowed for compliance with the demand, in whole or in part, except that the
person filing the petition shall comply with any portions of the demand not sought
to be modified or set aside.
(3) Petition to modify or set aside demand for product of discovery.
(A) In the case of any civil investigative demand issued under subsection (a)
which is an express demand for any product of discovery, the person from whom
such discovery was obtained may file, in the district court of the United States for
the judicial district in which the proceeding in which such discovery was obtained
is or was last pending, and serve upon any false claims law investigator identified
in the demand and upon the recipient of the demand, a petition for an order of
Page 23 of 39 06/16/2006
such court to modify or set aside those portions of the demand requiring
production of any such product of discovery. Any petition under this
subparagraph must be filed-(i) within 20 days after the date of service of the civil investigative demand, or at
any time before the return date specified in the demand, whichever date is
earlier, or
(ii) within such longer period as may be prescribed in writing by any false claims
law investigator identified in the demand.
(B) The petition shall specify each ground upon which the petitioner relies in
seeking relief under subparagraph (A), and may be based upon any failure of the
portions of the demand from which relief is sought to comply with the provisions
of this section, or upon any constitutional or other legal right or privilege of the
petitioner. During the pendency of the petition, the court may stay, as it deems
proper, compliance with the demand and the running of the time allowed for
compliance with the demand.
(4) Petition to require performance by custodian of duties. At any time during
which any custodian is in custody or control of any documentary material or
answers to interrogatories produced, or transcripts of oral testimony given, by
any person in compliance with any civil investigative demand issued under
subsection (a), such person, and in the case of an express demand for any
product of discovery, the person from whom such discovery was obtained, may
file, in the district court of the United States for the judicial district within which the
office of such custodian is situated, and serve upon such custodian, a petition for
an order of such court to require the performance by the custodian of any duty
imposed upon the custodian by this section.
(5) Jurisdiction. Whenever any petition is filed in any district court of the United
States under this subsection, such court shall have jurisdiction to hear and
determine the matter so presented, and to enter such order or orders as may be
required to carry out the provisions of this section. Any final order so entered
shall be subject to appeal under section 1291 of title 28. Any disobedience of any
final order entered under this section by any court shall be punished as a
contempt of the court.
(6) Applicability of Federal Rules of Civil Procedure. The Federal Rules of Civil
Procedure shall apply to any petition under this subsection, to the extent that
such rules are not inconsistent with the provisions of this section.
(k) Disclosure exemption. Any documentary material, answers to written
interrogatories, or oral testimony provided under any civil investigative demand
issued under subsection (a) shall be exempt from disclosure under section 552 of
title 5.
Page 24 of 39 06/16/2006
(l) Definitions. For purposes of this section-(1) the term "false claims law" means-(A) this section and sections 3729 through 3732; and
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(B) any Act of Congress enacted after the date of the enactment of this section
[enacted Oct. 27, 1986] which prohibits, or makes available to the United States
in any court of the United States any civil remedy with respect to, any false claim
against, bribery of, or corruption of any officer or employee of the United States;
(2) the term "false claims law investigation" means any inquiry conducted by any
false claims law investigator for the purpose of ascertaining whether any person
is or has been engaged in any violation of a false claims law;
(3) the term "false claims law investigator" means any attorney or investigator
employed by the Department of Justice who is charged with the duty of enforcing
or carrying into effect any false claims law, or any officer or employee of the
United States acting under the direction and supervision of such attorney or
investigator in connection with a false claims law investigation;
(4) the term "person" means any natural person, partnership, corporation,
association, or other legal entity, including any State or political subdivision of a
State;
(5) the term "documentary material" includes the original or any copy of any
book, record, report, memorandum, paper, communication, tabulation, chart, or
other document, or data compilations stored in or accessible through computer or
other information retrieval systems, together with instructions and all other
materials necessary to use or interpret such data compilations, and any product
of discovery;
(6) the term "custodian" means the custodian, or any deputy custodian,
designated by the Attorney General under subsection (i)(1); and
(7) the term "product of discovery" includes-(A) the original or duplicate of any deposition, interrogatory, document, thing,
result of the inspection of land or other property, examination, or admission,
which is obtained by any method of discovery in any judicial or administrative
proceeding of an adversarial nature;
(B) any digest, analysis, selection, compilation, or derivation of any item listed in
subparagraph (A); and
Page 25 of 39 06/16/2006
(C) any index or other manner of access to any item listed in subparagraph (A).
Page 26 of 39 06/16/2006
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff
v. No. 05-CV-2288
LANCASTER COUNTY PRISON,
MANHEIM TOWNSHIP POLICE DEPARTMENT, JURY TRIAL
DEMANDED
STONE HARBOR POLICE DEPARTMENT,
AVALON POLICE DEPARTMENT,
COMMONWEALTH NATIONAL BANK (LC. MELLON BANK),
SOUTHERN REGIONAL POLICE DEPARTMENT,
LANCASTER COUNTY SHERIFFS DEPARTMENT,
FULTON BANK
Defendant
PLAINTIFFS REPLY TO FULTON BANKS RESPONSE TO PLAINTIFFS
MOTION FOR EX PARTE MEETING WITH THE HONORABLE MARY A. McLAUGHLIN
FULTON BANK RESPONSE
Defendant, Fulton Bank, by and through its attorneys, Barley Snyder, LLC, hereby files the
following Response in opposition to Plaintiffs Motion for Ex Parte Meeting with the Honorable
Mary A. McLaughlin: On or about June 2,2006, Plaintiff filed a Motion requesting an ex parte
meeting with the Honorable Mary A. McLaughlin "to discuss the problems of preceding, this
action without obstruction of justice; and to amend the original complaint as discussed
previously." See Plaintiffs Motion. However, Plaintiff provides no justification whatsoever for
his request for an ex parte meeting with the Court. Rather, Plaintiff apparently labors under
the false assumption that by proceeding pro se he is absolved of all responsibility to comply
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with the rules. Such is not the case. The fact that Plaintiff decided to be his own lawyer does
not excuse him from following the rules of civil procedure or entitle him to any particular
Page 27 of 39 06/16/2006
Confidential Pag e 2 6/12/2006
advantage for lack of legal training. "The right of self-representation is not a license to abuse
the dignity of the courtroom. Neither is it a license not to comply with relevant rules of
procedural and substantive law." Faretta v. California, 422 U.S. 806,834 n. 46,95 S.Ct.
2525,2541 n. 46,45 L.Ed.2d 562 (1975).
In the instant case, Plaintiff has no greater right to be heard than he would have if he were
represented by counsel. As a pro se litigant, Plaintiff, in essence, stands in the place of an
attorney. Plaintiffs request for an ex parte meeting with the Court in this case violates Rule
3.5(a) of the Rules of Professional Conduct because it is clear that Plaintiff seeks to influence
the Court with his version of events, without providing defense counsel any opportunity to
respond.' Since an ex parte meeting with the Court would violate the Rules of Professional
Conduct and provide Plaintiff an unfair advantage over Defendants, Plaintiffs request for
such a meeting should be refused.
HISTORICAL BACKGROUND
The following is copy of an Affidavit that was filed on January 31, 1998 in the chambers of
Honorable Stewart Dalzell in a desperate attempt for due process of the issues contained
herein. In November of 1997 the PLAINTIFF sought the counsel of Ms. Christina Rainville
while employed by the firm of Schnader, Harrison, Segal and Lewis. This was the last
attempt by the PLAINTIFF of seeking competent legal counsel. Ms. Rainville acknowledged
and communicated to the PLAINTIFF that the firm had barred her from representing any
additional clients from Lancaster County shortly after the PLAINTIFFs solicitation; which she
had plenty of solicitations from other potential Lancaster County clients. In the document
titled Plaintiff Finding of Facts it is clearly documented that the PLAINTIFF did attempt to
solicit and retain several competent lawyers since 1987, all of who displayed conflicts of
interests, and some went so far as to violate rules of ethics concerning client/attorney
privilege. PLAINTIFFs filing as Pro Se Litigant was the only alternative available that would
protect and preserve the PLAINTIFFs legal standing and right to due process. The following
excerpt from the Affidavit will demonstrate to the court a factual account of the events that
precluded and provided the Plaintiff the legal standing to file the original complaint on May
16, 2005.
Page 28 of 39 06/16/2006
Confidential Pag e 3 6/12/2006
AFFIDAVIT OF 1998 TO HONORABLE JUDGE STEWART DALZELL
I, Stanley J. Caterbone being duly sworn according to law, make the following affidavit
concerning the years during which I was maliciously and purposefully mentally abused,
subjected to a massive array of prosecutorial misconduct, while enduring an exhaustive
fight for the sovereignty of my constitutional rights, shareholder rights, civil liberties, and
right of due access to the law. I will detail a deliberate attempt on my life, in 1991, exhibiting
the dire consequences of this complaint. These allegations are substantiated through a
preponderance of evidence including but not limited to over 10,000 documents, over 50
hours of recorded conversations, transcripts, and archived on several digital mediums. A
Findings of Facts is attached herewith providing merits and the facts pertaining to this
affidavit. These issues and incidents identified herein have attempted to conceal my
disclosures of International Signal & Control, Plc. However, the merits of the violations
contained in this affidavit will be proven incidental to the existence of any conspiracy.
The plaintiff protests the courts for all remedial actions mandated by law. Financial
considerations would exceed $1 million.
These violations began on June 23, 1987 while I was a resident and business owner in
Lancaster County, Pennsylvania, and have continued to the present. These issues are a
direct consequence of my public disclosure of fraud within International Signal & Control,
Plc., of County of Lancaster, Pennsylvania, which were in compliance with federal and state
statutes governing my shareholder rights granted in 1983, when I purchased my interests in
International Signal & Control., Plc.. I will also prove intentional undo influence against
family and friends towards compromising the credibility of myself, with malicious and
selfserving
accusations of insanity. I conclude that the courts must provide me with fair
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access to the law, and most certainly, the process must void any technical
deficiencies found in this filing as being material to the conclusions. Such arrogance
by the Courts would only challenge the judicial integrity of our Constitution.
Page 29 of 39 06/16/2006
Confidential Pag e 4 6/12/2006
1. The activities contained herein may raise the argument of fair disclosure regarding the
scope of law pertaining to issues and activities compromising the National Security of the
United States. The Plaintiff will successfully argue that due to the criminal record of
International Signal & Control, including the illegal transfer of arms and technologies to an
end user Iraq, the laws of disclosure must be forfeited by virtue that said activities posed
a direct compromise to the National Security of the United States.; the plaintiff will argue
that his public allegations of misconduct within the operations of International Signal &
Control, Plc., as early as June of 1987 ;demonstrated actions were proven to protect the
National Security of the United States.. The activities of International Signal & Control,
Pls., placed American troops in harms way. The plaintiffs actions should have taken the
American troops out of harms way causing the activities of the International Signal &
Control, Plc., to cease and desist. .
All activities contained herein have greatly compromised the National Security of the
United States, and the laws of jurist prudence must apply towards the Plaintiffs intent and
motive of protecting the rights of his fellow citizens. Had the plaintiff been protected
under the law, and subsequently had the law enforcement community of the
Commonwealth of Pennsylvania, and the County of Lancaster administer justice, United
States troops may have been taken out of harms way, as a direct result of ceasing the
operations of International Signal & Control, Plc., in as early as 1987.
2. The plaintiff will successfully prove that the following activities and the prosecutorial
misconduct were directed at intimidating the plaintiff from continuing his public
disclosures regarding illegal activities within International Signal & Control, Plc,. On June
23, 1998, International Signal & Control, Plc was negotiating for the $1.14 billion merger
with Ferranti International, of England. Such disclosures threatened the integrity of
International Signal & Controls organization, and Mr. James Guerin himself, ,
consequently resulting in adverse financial considerations to all parties if such disclosures
provided any reason to question the integrity of the transaction, which later became the
central criminal activity in the in The United States District Court For The Eastern District
Of Pennsylvania.
Page 30 of 39 06/16/2006
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3. The plaintiff will prove that undo influence was also responsible for the adverse
consequences and fabricated demise of his business enterprises and personal holdings.
The dire consequences of the plaintiffs failed business dealings will demonstrate and
substantiate financial incentive and motive. Defendants responsible for administering
undo influence and interference in the plaintiffs business and commercial enterprises had
financial interests. The Commonwealth of Pennsylvania as a taxing authority, Lancaster
County had a great investment whos demise would facilitate grave consequences to its
economic development. . Commonwealth National Bank (Mellon) would have less
competition in the mortgage banking business and other financial services, violating the
lender liability laws. The Steinman Enterprises, Inc., would loose a pioneer in the
information technologies industries, and would protect the public domain from truthful
disclosure. The plaintiff will also provide significant evidence of said perpetrators violating
common laws governing intellectual property rights.
4. Given the plaintiffs continued and obstructed right to due process of the law, beginning in
June of 1987 and continuing to the present, the plaintiff must be given fair access to the
law with the opportunity for any and all remedial actions required under the federal and
state statutes. The plaintiff will successfully argue his rights to the courts to rightfully
claim civil actions with regards to the totality of these activities, so described in the
following Findings of Facts, regardless of any statute of limitations. Given the plaintiffs
genuine efforts for due process has been inherently and maliciously obstructed, the
courts must provide the opportunity for any and all remedial actions deserving to the
plaintiff.
5. Under current laws, the plaintiffs intellectual capacity has been exploited as means of
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discrediting the plaintiffs disclosures and obstructing the plaintiffs right to due process of
the law. The plaintiff has always had the proper rights under federal and state laws to
enter into contract. The logic and reason towards the plaintiffs activities and actions are
a matter of record, demonstrated in the Findings of Facts, contained herein..
The plaintiff will argue and successfully prove that the inherent emotional consequences
to all of the activities contained herein have resulted in Post Traumatic Stress Syndrome.
Page 31 of 39 06/16/2006
Confidential Pag e 6 6/12/2006
The evidence of the stress subjected to the plaintiff, will prove to be the direct result of the
activities contained herein, rather than the exhibited behavior of any mental deficiency the
plaintiff may or may not have. The courts must provide for the proper interpretations of all
laws, irrespective of the plaintiffs alleged intellectual capacity. The plaintiff successfully
argue that his mental capacity is of very little legal consequence, if any; other than in its
malicious representations used to diminish the credibility of the plaintiff.
6. The plaintiff will demonstrate that the following incidents of illegal prosecutions were
purposefully directed at intimidating the plaintiff from further public disclosure into the
activities of International Signal & Control, Plc., consequently obstructing the plaintiffs
access to due process of the law. Due to the fact that these activities to which the
plaintiffs perpetrators were protecting were illegal activities, the RICO statutes would
apply.
To this day, the plaintiff has never been convicted of any crime with the exception of 2
speeding tickets. The following report identifies 34 instances of prosecutorial misconduct
during the prosecutions and activities beginning on June 23, 1987 and continuing to
today.
7) Given the preponderance of evidence associated with this affidavit, the courts must
conclude that In The United States District Court For The Eastern District of
Pennsylvania, Federal Judge Stuart Dalzalls findings of April 14, 1997, in the Lisa
Lambert case identifying acts of Prosecutorial Misconduct, now, by virtue of this affidavit,
now discloses evidence of a bona fide pattern of prosecutorial misconduct, in the
Commonwealth of Pennsylvania and in the County of Lancaster. Criminal law must now
determine if these disclosures would warrant investigations of a possible criminal
enterprise. This affidavit is of material interest to the Lambert case, for the very fact that
this affidavit compromises the very same integrity of the court, which would tip the scales
of justice even further from the peoples deserving rights..
In the truthfulness of this affidavit, The Commonwealth must concede Lisa Michelle
Lambert to balance the scales of justice, which no other act could accomplish. The
Page 32 of 39 06/16/2006
Confidential Pag e 7 6/12/2006
Commonwealth must yield the criminal culpability of Lisa Michelle Lambert to the superior
matter of restoring the integrity to the courts; by its own admission of wrongdoing,
assuring the peoples of its commitment to administer equalities of justice, not inequalities
of justice. Balancing the scales of justice. Anything less, would take the full scope of
jurisdiction out of the boundaries of our laws, negating our democracy and impugning the
Constitution of the United States. The plaintiff must be restored to whole.
I was not defending the criminal culpability of Lisa Michelle Lambert, but rather assaulting
the judicial integrity of the Lancaster County Judicial System, from first-hand experience;
and making the point that such conduct eludes every major stakeholder from the truth
and justice prosecution and defense alike.
Page 33 of 39 06/16/2006
Confidential Pag e 8 6/12/2006
PLAINTIFFS REPLY
PLAINTIFF filed the original complaint on May 16, 2005 prematurely due to the undo
influence and intimidation of several DEFENDANTS and other persons, entities, and or
organizations; specifically the threat of a fabricated criminal prosecution. PLAINTIFF readily
recognized the deficiencies in the filing and the lack of a formal complaint (affidavit and
finding of facts only), and had repeatedly requested information and procedural guidance
from the Court during the course of time that had elapsed until the ORDER of the Honor on
January 7, 2006. This had seemed especially difficult in light of the fact that the original filing
was sealed. In 1998 PLAINTIFF stated to the courts the following: I conclude that the
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courts must provide me with fair access to the law, and most certainly, the process
must void any technical deficiencies found in this filing as being material to the
conclusions. Such arrogance by the Courts would only challenge the judicial integrity
of our Constitution. PLAINTIFF acknowledges that the preceding statement contains an
emotional response to the situation, and readily requests that the Court interprets the legal
intention and merits of the PLAINTIFFs request for a fair and reasonable access to the Court
to hear and adjudicate the PLAINTIFFs complaint.
PLAINTIFF has filed numerous formal complaints with the Federal Bureau of Investigations
Internet Crime Complaint Center. Those complaints identified as; I05120608348825 ;
I05120804514805; and I06010506177009. Additionally complaints were filed with the
Southern Regional Police Department of Conestoga, and the Lancaster County District
Attorneys Office with Chief Detective Michael J. Landis during the course of the last 2 years,
where the PLAINTIFFS computer and online broadband connections was hacked. At times
when PLAINTIFF attempted to search and find Rules of Civil Procedure (Federal and
Pennsylvania) and related subject matters, including but not limited to the effective service
for DEFENDANTS, certain provisions were missing and or replaced with erroneous and
misinformation, thus resulting in an improper Certificate of Service and violation of the Rules
of Civil Procedure relating to the Service of the complaint.
Plaintiff deliberately provided no response to all previous Motions to Dismiss filed by several
DEFENDANTS due to the vagueness of the ORDER of January 7, 2006 instructing the
PLAINTIFF to only serve all DEFENDANTS with the complaint. That ORDER stated: IT IS
Page 34 of 39 06/16/2006
Confidential Pag e 9 6/12/2006
HEREBY ORDERED that the plaintiff shall serve the summons and complaint on or
before January 25, 2006. If the plaintiff does not do so, the Court will dismiss the
complaint without prejudice. The Court will consider the plaintiff's request to amend
the complaint and for a hearing after the summons and complaint are served.
The court provided not instructions or demands of the PLAINTIFF to proceed with any
additional motions, responses, and or replies after the effectively serving the original
complaint to all of the DEFENDANTS. PLAINTIFF will argue that continuing with litigating
the original complaint bears no purpose, nor serves any interests of the Court in providing
the PLAINTIFF with due process and access to the Courts due to the fact that the original
complaint was not appropriately formulated to ensure that the PLAINTIFFS allegations of
misconduct and violations of Federal Law were constructed sufficiently for the Court.
PLAINTIFF, on June 2, 2006, appropriately and formally requested that meeting with the
Court to amend the original complaint in the Motion for Ex Parte Meeting with the Honorable
Mary A. McLaughlin.
PLAINTIFF seeks no advantage, special treatment, nor special considerations from the
Court. PLAINTIFF is seeking the ex parte meeting for procedural guidance to amend the
original complaint and to address the ramifications of the sealing of the complaint with
special regards to issues of National Security and documented and factual threats on the
PLAINTIFFs life . The following is the excerpt from the PLAINTIFFs Finding of Facts:
June 11, 1991 - Stan Caterbone left the Stone Harbor Marina at approximately 12:30 am en
route to
Lancaster, Pa, to retrieve some files concerning the ISC cover-up. Upon driving north on
Route 47
(the normal route to Lancaster), approximately 10 miles outside the Cape May county
Courthouse,
Stan Caterbone noticed a car following him closely. Suspicious, Stan Caterbone decreased
his speed
from 55 mph to 35 mph, in order for the car to pass him. However, the car remained directly
behind,
adjusting the speed accordingly. In an effort to elude the car, without raising suspicion, Stan
Caterbone gradually increased his speed, while also increasing the distance between the
cars,
resulting in the loss of his taillights to the ensuing vehicle - Because of the winding road, Stan
Caterbone looked for an abrupt turn-off, in hopes of dashing the eluding vehicle, by loosing
sight of
Page 35 of 39 06/16/2006
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Confidential Page 10 6/12/2006
his taillights. There was little or no traffic on the route during the early morning hours, and
Stan
Caterbone stopped at an intersection, and noticed that the headlights of the ensuing vehicle
were not
visible in his rear view mirror, meaning that his taillights were also not visible to the ensuing
vehicle.
Immediately upon pulling from the intersection, Stan Caterbone noticed a narrow dirt road
that lead
into a field of small trees, the perfect place to sit for the ensuing auto to pass him, unnoticed.
The
ensuing vehicle pulled to the intersection, and continued north on route 47, in the direction of
Lancaster. Stan Caterbone sat in his vehicle a few minutes, until continuing on his travel,
north on
Route 47. Approximately five (5) minutes later, a car traveling in excess of SS mph,
approached Stan
Caterbone, traveling south on the same road (2 lanes) As the two cars approached each
other, and
approximately 30 yards from reaching each other, the approaching vehicle drove directly into
the lane
of Stan Caterbone, with its high beams on, and continued straight for his vehicle, or what
appeared to
be a head-on-collision. Stan Caterbone drove off of the berm of the road, missing a line of
trees by
less than 12 inches (eluding a life threatening disaster), and passed the vehicle that was still
in the
northbound lane, heading south. Stan Caterbone, shaking and sweating furiously, noticed the
cars
brake lights go on, and the car apparently turned around, and began pursuing Stan Caterbone
again.
Stan Caterbone drove as fast as he could to Route 55, hoping to find traffic in order to hide
and loose
the pursuing car. Stan Caterbone arrived in Lancaster, at approximately 3:00 am, and again
noticed a
car sitting in the parking lot of the vacant "Sportsman's Den", at the intersection of the New
Danville
Pike and Prince Streets. Upon driving west on Hershey Avenue, Stan Caterbone noticed the
car
following him. In an effort to identify the license plate, Stan Caterbone made a few turns in
the area of
Hamilton Watch, and followed the car heading north on S. West End Avenue. The car was a
late
model, gold or tan, Cougar or possibly a Buick Park Avenue. Stan Caterbone watched the car
increase his speed, and finally changed directions and proceeded to his residence, and
parked a few
blocks away, and walked through the woods, to his apartment in the Hershey Heritage
complex. Stan
Caterbone then used a flashlight, in order not to reveal his presence, and returned to his
vehicle,
sometime in the early morning, during daylight.
Page 36 of 39 06/16/2006
Confidential Page 11 6/12/2006
WHEREFORE, Plaintiff Stanley J. Caterbone/Advanced Media Group respectfully requests
that Plaintiffs Motion for Ex Parte Meeting with the Honorable Mary A. McLaughlin be
affirmed.
Respectfully submitted,
Stanley J. Caterbone, Pro Se Litigant
Dated: June 9, 2006
220 Stone Hill Road
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Conestoga, PA 174516
717-431-8184
717-427-1821 facsimile
amgroup01@msn.com
www.amgglobalentertainmentgroup.com
.
Page 37 of 39 06/16/2006
Confidential Page 12 6/12/2006
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff
v. No. 05-CV-2288
LANCASTER COUNTY PRISON,
MANHEIM TOWNSHIP POLICE DEPARTMENT, JURY TRIAL
DEMANDED
STONE HARBOR POLICE DEPARTMENT,
AVALON POLICE DEPARTMENT,
COMMONWEALTH NATIONAL BANK (LC. MELLON BANK),
SOUTHERN REGIONAL POLICE DEPARTMENT,
LANCASTER COUNTY SHERIFFS DEPARTMENT,
FULTON BANK
Defendant
ORDER
AND NOW, this - day of ,2006, upon consideration of Plaintiffs Motion for Ex Parte Meeting
with the Honorable Mary A. McLaughlin, and Fulton Bank's response thereto, it is hereby
ORDERED AND DECREED that the Motion is AFFIRMED.
BY THE COURT:
________________________________
Mary A. McLaughlin, J.
Page 38 of 39 06/16/2006
Confidential Page 13 6/12/2006
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing Reply to Response to
Motion for Ex Parte Meeting has been served this 12th day of June, 2006, by first class mail,
Postage prepaid, upon:
Michael Donahue
Harbor Police Administration Building
9508 2nd Avenue
Stone Harbor. NJ 08247
Stephen Basse, Esquire Stuart A. Weiss, Esquire
817 East Landis Avenue George M. Gowen, 111, Esquire
Vineland, NJ 08360 Cozen O'Connor
1900 Market Street
Philadelphia, PA 1 9103
I HEREBY CERTIFY that a true and correct copy of the foregoing Reply to Response to
Motion for Ex Parte Meeting has been served in person to the offices below on this 12th day
of June ,2006,:
Howard L. Kelin, Esquire George T. Brubaker, Esquire
Kegel, Kelin, Almy & Grimm Hartman, Underhill & Brubaker, LLP
24 North Lime Street 221 East Chestnut Street
Lancaster, PA 17602 Lancaster, PA 17602
Sfephanie Carfley, Esquire
Attorneys for Defendant Fulton Bank
126 East King Street
Lancaster, PA 17602-2893
(717) 299-5201
Respectfully submitted,
Stanley J. Caterbone, Pro Se Litigant
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Dated: June 9, 2006
220 Stone Hill Road
Conestoga, PA 174516
717-431-8184
717-427-1821 facsimile
amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Page 39 of 39 06/16/2006

June 17, 2006


Saturday
8:00 PM - 8:30 PM

Tim McGraw & Faith Hill - SOLD OUT --

GIANT Center

Event Name: 2nd Show Added for Tim McGraw & Faith Hill - SOLD OUT
Type of Event: Concert
Show
Entertainment
Venue: GIANT Center
Hershey
Event Date(s): 6/17/06
Event Time(s): 8:00 PM
On-Sale Date: 3/25/06
On-Sale Time: 10:00 AM
Admission:
$87.75, $62.75 and $42.75
***8 Ticket Limit***
Processing fee will apply
Parking Fee is applicable
Event Details: Their first scheduled show sold out in just minutes. Now the most famous
couple in country music will perform at the GIANT Center on June 17 at 8 p.m. Tickets go on
sale on Saturday, March 25 at 10 a.m.
The mega-tour, which is expected to exceed 70 concert dates, will kick off on April 21 at The
Nationwide Arena in Columbus, Ohio. Soul2Soul II puts to end a nearly six-year hiatus away
from the road for Hill, and puts McGraw back onstage in front of the loyal audiences that have
served to make him one of the music industrys biggest touring acts.
Tim McGraw and Faith Hills Soul2Soul Tour 2000 marked one of the industrys most
successful concert tours of the millennium. It produced fast sell-outs, box office sales records
at venues across America, and critical accolades. Since its conclusion nearly six years ago,
speculation and anticipation for a follow-up tour has been widespread.
Fans can expect a great seat anywhere in the house with Soul2Soul II Tours unique in-theround set design that will put fans closer than ever to the concert action. For the Soul2Soul
II Tour, McGraw and Hill also have combined their efforts to create Club SuperSoul, an
interactive fan package that grants fans access to both artists' online fan clubs, an exclusive
behind-the-scenes look at the tour, presale access, pre-show party lottery and limited-edition
merchandise. In addition, Soul2Soul II Tour media partner AOL will offer fans the
opportunity to buy tickets in advance on the Web through AOL Tickets at www.aol.com/tickets
as of February 22.
Combined, McGraw and Hill have more than 60 million albums sold, six Grammy Awards, 17
American Music Awards, 22 Country Music Association Awards and 16 Academy of Country
Music Awards. With 11 #1 albums and more than 35 #1 singles, Tim McGraw and Faith Hill
are not just country musics reigning first couple, they are each, in their own right, among their
generations most successful performers.
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Soul2Soul II will feature the songs that have become synonymous with Tim and Faiths
careers over the past decade. Along with some never-before-seen musical performances, the
show will feature what insiders are calling one of the most unique set designs ever made and
with the latest in visual technology and lighting design, Soul2Soul II Tour will include many
of Tim and Faiths biggest hits and duets.
The Soul2Soul II Tour is being presented by The Hershey Company. Fans of Hershey'salong with Tim and Faith-share a love for great music and chocolate, creating a winning
combination for the Soul2Soul II Tour.
For more information or tickets: Call GIANT Center Box Office at 717-534-3911 or visit
www.giantcenter.net
For this concert, the wristband policy will be in effect. Fans are permitted on HERSHEYPARK
property beginning at a 7 AM on Saturday, March 25. Two hours prior to the on-sale, fans are
directed in front of GIANT Center, where they are issued a numbered wristband. Wristbands
are available for one hour, and at the conclusion of that hour, a selected fan will randomly
select a wristband that will determine the line order. For example: if 1000 wristbands are
issued during that hour and the number 500 is selected, the person wearing wristband 500 will
be the first person in line. Numbers 501 to 1000 will proceed in line behind followed by
numbers 1-499. Once the line is in place, everyone arriving after the wristbands were issued
will be escorted to the end of the numbered line.
Tickets also available at: Ticketmaster at 717-260-2000, 570-693-4100, or 215-336-2000 or
visit their website www.ticketmaster.com
Doors open 60-90 minutes prior to show. Times subject to change.
Note: Cameras are not permitted. Audio and video recorders, movie cameras and press
cameras are never permitted except by special permission of the artists management.
HERSHEYPARK Deal: Ride the day away at HERSHEYPARK before you rock and roll all
night! HERSHEYPARK offers a special discounted admission price of just $25.95 to concert
go-ers when purchasing and using a Park ticket on the day of the concert! Just present your
concert ticket at the HERSHEYPARK Front Gate the day of the concert to receive the
discount.
ALL INFORMATION SUBJECT TO CHANGE WITHOUT NOTICE.
Phone: Call 717-534-3911 for more details.

June 18, 2006


Sunday
8:00 PM - 8:30 PM

Tim McGraw & Faith Hill - SOLD OUT -- Hershey Stadium

Tim McGraw & Faith Hill - SOLD OUT

June 19, 2006


Monday
12:00 AM - 12:30 AM

Judge Mary McLaughlin Order for Amended Complaint

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA

STANLEY J. CATERBONE CIVIL ACTION


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v.
LANCASTER COUNTY PRISON.
NO. 05-2288

ORDER
Filed JUN 19 20006
AND NOW, this 19th day of June, 2006, upon consideration of the plaintiff's reply brief in
support of his motion for an ex parte meeting with the Court, IT IS HEREBY ORDERED that,
to the extent that the plaintiff is requesting leave to file an amended complaint: 1) the request
shall be deemed a motion to file an amended complaint; and 2) the motion is GRANTED.
Although the Court dismissed many of the claims in the original complaint as time-barred,
and the plaintiff has not attached a proposed amended complaint to demonstrate that he will
be able to cure the deficiencies in the original complaint, the plaintiff is entitled to amend his
pleadings once as a matter of course before a responsive pleading is served. Fed. R. Civ. P.
15(a); Shane v. Fauver, 213 F.3d 113, 115 (3d Cir. 2000). NO responsive pleading has yet
been filed in this case.
BY THE COURT:
Judge Mary A. McLaughlin
JUN 1 9 2006
CLERK OF COURT

___________________________________________________________________________
_________________________
STANFORD SHANE; OTIS TERRELL; ROBERT STEWART, Appellants v. WILLIAM
FAUVER, Commissioner; JAMES BARBO, Administrator; ROGERS, Chief; DIRECTOR OF
CUSTODY
No. 98-6205
UNITED STATES COURT OF APPEALS FOR THE THIRD
CIRCUIT
213 F.3d 113; 2000 U.S. App. LEXIS 11082; 46 Fed. R. Serv. 3d (Callaghan) 957 November
16, 1999, Argued
May 19, 2000, Filed
PRIOR HISTORY: **1 ON APPEAL FROM THE UNITED STATES DISTRICT COURT FOR THE
DISTRICT OF NEW JERSEY. (Dist. Court No. 97-cv--03401). District Court Judge: Joseph A.
Greenaway, Jr. DISPOSITION: Order of dismissal vacated and re- manded for further
proceedings.
CASE SUMMARY:
PROCEDURAL POSTURE: Plaintiffs appealed the dismissal of their 42 U.S.C.S. 1983
complaint by the United
States District Court for the District of New Jersey, without leave to amend.
OVERVIEW: Plaintiff inmates sued defendant state correctional officials under 42 U.S.C.S.
1983 based on violations of U.S. Const. amend. I, VIII, and XIV and under state law.
Defendants moved to dismiss the com- plaint under Fed. R. Civ. P. 12(b)(6) for failure to
state a claim. The district court entered an order granting defen- dants' motion and dismissing
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the complaint. Because the order did not specify that the dismissal was without prej- udice,
the dismissal operated as an adjudication upon the merits. On appeal plaintiffs contended the
district court erred in dismissing without giving leave to amend and in dismissing with
prejudice. The court held the district court abused its discretion in dismissing plaintiffs' claims
without either granting leave to amend or concluding that amendment would have been futile
since leave generally is freely given when justice so requires and the enactment of the Prison
Litigation Reform Act did not alter this rule.
OUTCOME: Order of dismissal vacated because the dis- trict court should not have
dismissed plaintiffs' claims without either granting leave to amend or concluding that any
amendment would have been futile; remanded for further proceedings.

10:30 AM - 11:00 AM

H. Gus Dorn Commonwealth Of Pennsylvania

Advanced Media Group


220 Stone Hill Road
Conestoga, PA 17516
June 19, 2006
H. Gus Dorn
Commonwealth Of Pennsylvania
Office Of Attorney General
Bureau Of Consumer Protection
Harrisburg Regional Office
301 Chestnut Street, Suite 105
Harrisburg, PA 17101
(7171 787-7109
May 31, 2006
Re: A-002594-2006
As per our conversation, I will address the issues contained in Mr. Yarnells response to your
office. Please not that I was not given any of the exhibits that Mr. Yarnell submitted to your
office.
On August 26,2005 we entered into an agreement with Mr. Caterbone for the installation and
monitoring of an alarm system at 220 Stone Hill Road Conestoga, PA 17518. Our standard
pricing for the system he ordered is $1,899.00 and then he would pay $192.00 per year for
the monitoring of the system. Another option he was given was to pay $1,324.00 for the
installation and then pay $299.40 per year for 5 years. Mr. Caterbone chose the 2nd option.
(Attached marked items A and B are the contracts and the service rider).
Above paragraph is not contested.
Mr. Caterbone gave us a check in the amount of $800.00 for the system deposit so that we
could start the job. (Item C) The installation was scheduled for September 30, 2005. Our
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technician arrived at the site and installed the system. Mr. Caterbone agreed that the system
was installed to his satisfaction and also added 2 additional key fobs. (See installers check
list, Item D).
Please see Exhibit E: Email of October 1, 2005 of Installation Problems
This check list goes on every job for the end user to sign. Please note the highlighted item.
Please find attached a copy of Mr. Caterbones final invoice in the amount of $1,021.40. This
was to be paid to our installer. He told our technician that he would send it in. (Item E) can
see we performed all of our duties as we agreed.
Please see Exhibit A: Bankruptcy Chapter 11 Petition, Yarnell Securities is on the matrix of
Creditors.
Please see Exhibit B: Bankruptcy Chapte11 Appeal Judge Anita Brody Appeal Response.
Please see Exhibit C: Bankruptcy Chapter 11 Definition and Regulations.
We clearly state on our contracts that the customer provides the phone lines. (Item A
paragraphs 7 and 8) We also offer alternate methods of communication for all of our
systems. (Cellular Back Up) (Internet Monitoring). These were refused. See Item B
highlighted item.
Please refer to Exhibit D: Verizon Duplicate Bill for phone number 717-872-6984 which was a
dedicated land line for the security system.
Attached is a printout showing that the system was tested and working properly. Our
contracts clearly state providing a phone line is the responsibility of Mr. Caterbone. Mr.
Caterbones system was completed September 30, 2005 and as of this date we still have not
been paid the balance of his monies due.
Above paragraph is not contested.
Mr. Caterbone has the system. We provided the complete installation in a timely fashion. Mr.
Caterbone has been called numerous times to collect the balance due. We provided more
than 8 hours of labor at Mr. Caterbone residence, as well the equipment with a normal selling
price of over $1800.00 plus the extra he received. Your help would be greatly appreciated.
Please see Exhibit A: Bankruptcy Chapter 11 Petition, Yarnell Securities is on the matrix of
Creditors.
Please see Exhibit B: Bankruptcy Chapte11 Appeal Judge Anita Brody Appeal Response.
Please see Exhibit C: Bankruptcy Chapter 11 Definition and Regulations.
In paragraph 8. of the Residential Sales/Service Agreement it states: there will be no
monitoring..if the telephone line is interrupted unless the customer elects to pay for
additional technology that will report such an interruption.
Upon the execution and installation of agreement, I was told that a dedicated telephone line
was required so that any interruption with phone service would be detected. Why would you
pay for a Security System with alarms and a monitoring system that contained all of the
technological advances if it was vulnerable to someone snipping your phone line outside of
your house, and negating that Security System as moot?
I wonder if all of the customers for Yarnell Security Systems are aware of this vulnerability.
In addition, I was billed for monitoring my security system up to April 3, when in fact my
dedicated phone line with Verizon was terminated on or before December 24, 2005.
And you told me on the telephone in our conversation that this is not fraud?
You see, I have issues with Office of the Attorney General that date back to 1987 that I am
trying to resolve in Federal Court, and must assume that you are retaliating against me for my
filing of certain Federal Civil Actions, which are now currently being litigated in the United
States District Court for the Eastern District of Pennsylvania.

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Respectfully,

Stanley J. Caterbone
Cc:

file
Exhibits
www.amgglobalentertainmentgroup.com
infor@amgglobalentertainmentgroup.com
717.731.8184 Phone
717.427-1621 Fax

11:30 AM - 12:00 PM

Visit Lancaster Courthouse PA Rules Book Returned to Briefcase -- Lancaster County Courthouse

Noticed when getting briefcase out to go into courthouse


Get release of lien doc from Prothonetary

June 20, 2006


Tuesday
4:00 AM - 4:30 AM

Woke up with legs locked

Both groins were locked, could not walk, hypnotized via tv??
10:30 AM - 11:00 AM

Hearing East Lampeter Prelim Hearing

1:30 PM - 2:00 PM

Visit Lancaster County Prothenetary Civil & Criminal -- Lancaster County Courthouse

File release of lien and get info for appeal for Tim Decker Eckert Citation
Nunc Pro Tume for Eckert Appeal from Criminal Clerk of Courts
the plaintiff in the above Judgment, do hereby howledge to have recieved fill satisfaction for
the same, and
hereby authorize and empowet. the Prothonotary of the Court of Common Pleas of Lancaster
Camty to enter
satisfacticm thereon and release the same.
WITNESS Li dia 2 hmd and seal the '20 day of
3
COMMONWEALTH OF PENNSYLVANIA,
ss. :
Acorn,
Before me, the suhribet, a ndw,, ~ b \ ; c in and for said County,
personally came the abovenamed ~ i a ?nI '~ htebro rne
who in due form of law acknowleded the above Pbwer of Attorney to
release the above-stated Judgment, to be hi 5 - act and deed, to the end that the same might
be recorded as such.
WITNESS my hand and seal the day and year above written,
No= Tbir pgsr must be rknowlcd&ad b& n falice af thv PPW. Motnly Psblie, ar albar affias
duly rwitld by
*w m tab 1 c f ~ l d ~ l 8 .

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Tuesday
3:30 PM - 4:00 PM

Harleysvill PA Insurnace Dept Vonney Shutt Phone Call -- Harrisburg,PA

Kept giving me a run around and saying "why don't you send it certified"
Told her he has all he needs for claim, will not talk or communicate with Plum, told her to do
her job, I filed complaint, not him.go to hell
5:30 PM - 6:00 PM

Don Totaro - email to All Contacts

http://gfx2.hotmail.com/lgo_msn_215x39.gif
amgroup01@msn.com Printed: Wednesday, June 21, 2006 4:49 AM
_____
From : Stan Caterbone <amgroup01@msn.com>
Sent : Tuesday, June 20, 2006 6:55 PM
To :
ureyp@co.lancaster.pa.us
Subject :
What was today?
_____
ATTN - Mr. Don Totaro
Re: CR-000169-06
What went on today in District Justice Commin's Courtroom at approximately 11:00am?
You will not get away with all of your lies and deception. You fabricated these charges last
October, said you were going to refile charges in December, never did, then when I put the
truth before the United States District Court for the Eastern District of Pennsylvania, you
refiled your fabricated charges.
Then today, encouraged everyone to lie under oath, including your District Attorney, whoever
she was.
You should be ashamed.

Advanced Media Group


Stan Caterbone
mailto: amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Fax: (717) 427-1621
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516

Advanced Media Group

291

9/25/2006 10:14 AM

June 21, 2006


Wednesday
6:30 AM - 7:00 AM

Email to Judicial Conduct Board for Commins Hearing

amgroup01@msn.com Printed: Wednesday, June 21, 2006 6:40 AM


_____
From :
Sent :
To :
CC :

Advanced Media Group <amgroup01@msn.com>


Wednesday, June 21, 2006 6:36 AM
<joseph.massa@jcbpa.org>
<amgauctions@comcast.net>, "Chief Fiorill " <FiorillJ@police.co.lancaster.pa.us>

Subject :
_____

Complaint No. 2006-215

http://gfx2.hotmail.com/i.p.attach.gifAttachment :
MDJComminsSomethingHearingjun202006.pdf (0.62 MB),
VonageRecordsforJune15toJune21.pdf (0.15 MB),
JudicialConductBoardLettersofConfirmjun52006.pdf (0.27 MB)
_____
COMMONWEALTH OF PENNSYLVANIA JUDICIAL CONDUCT BOARD
Follow up information to the above referenced case no 2006-215.
On June 19, found that someone hacked my computer and removed my scheduled
appointment for the Hearing with District Justice Commins the following day on June
20th. The appointment schedule was apparently removed soon after I entered it. I always
look forward to calendar schedule, and would have naturally been preparing days before
Hearing. Then went to file and found that someone removed important documents required
for Hearing, from my office.
I immediately called Honorable Justice Commins at 2:25 pm. And asked for a continuance
due to the fact that I had no time to prepare. She told me she could not and would address it
at the Hearing at 10:30am.
Arrived and requested to get a copy of my file from District Justice Staff. All witnesses from
the Prosecution were present and called into courtroom about 30 minutes before me with
other people), which I was not aware of. Did not know what type of hearing I was
having. Kept asking for an explanation.
Approximately 11:15 am - Hearing started by Honorable Commins with a woman Prosecutor
(Said she was from Lancaster District Attorney Office Ms. Mazzouri?) on opposing desk. I
immediately moved for a motion for a continuance due to the above, and the District Justice
declined, and I asked what the proceeding was, and she said "we will begin this proceeding,
Prosecutor call your first witness".
Thought it was like last arraignment on December 5 in Magisterial District Justice Reuter, just
me and Officer Bezzerd.
Had to cross witnesses with no time to prepare. Could not raise concern that the Affidavit of
Probable Cause was changed on May 18, 2006 and quite different from original Affidavit of
October 2005. (See in Original Complaint File Attachments).
2 Witnesses lied extensivily, and kept looking to prosecuter for direction. One witness lied so
maliciously and testified under oath that I said "I wish George Bush and all the Marines would
Die" Did not know what to do, interrupted the hearing and asked the judge what was going
on, almost walked out of courtroom, because I was so upset. A subject matter that I am very
passionate and knowledgable about, the War in Iraq and the Troops - always trying to
educate so people would at least support the troops.
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Ordered case moved to and signed Bail Bond and received official notice for an Arraignment
in Lancaster County Courthouse on July 26, 2006..................
See attached.
Advanced Media Group
Stan Caterbone
www.amgglobalentertainmentgroup.com
amgroup01@msn.com
Fax: 717-427-1621
Phone: 717-431-8184

9:00 AM - 9:30 AM

Paid Eckert $25.00 for citations

SRP Officer said could not get a copy of files after asking Office Manager - wanted me to
cause disturbance so could cite me with disordorly conduct or get another 302
She was abusive, kept trying to get me mad with back talk and kept telling me it will cost me
for citations, I would have to pay wether in Bankruptcy or not.
Said will call when files are copied
11:00 AM - 11:30 AM

Public Defender Office

Get application, needed Police Complaints, will get later


11:30 AM - 12:00 PM

Visit Lancaster General Hospital

Sent to Corporate attorneys at 609 Cherry Street were not in said will call back.
4:00 PM - 4:30 PM

Public Defender Office

App accepted - wanted me to sign Waiver, would not without seeing it, would not let me
review document, did not let me in for a meeting, said I would come back Friday.

June 22, 2006


Thursday
12:00 AM - 9:00 AM

Chapter 11 Answer to Dismiss Brief

1
Local Bankruptcy Form 9014-3
UNITED STATES BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
In Re: Chapter 11 :
Stanley J. Caterbone, : NO. 05-23059-TMT
Debtor :
DEBTOR ANSWER TO UNITED STATES TRUSTEE'S
MOTION TO DISMISS OR CONVERT TO CHAPTER 7
TRUSTEE REPRESENTATIONS:
The United States trustee for Region 3, in furtherance of the administrative
responsibilities imposed pursuant to 28 U.S.C. Section 586(a), hereby moves,
pursuant to U.S.C. 5 11 12(b), for the entry of an order dismissing this case, or
converting this case to one under Chapter 7. In support of her motion, the United
States trustee represents as follows:
1. The Debtor commenced this case on May 23,2005, by filing a voluntary
petition under Chapter 11 of the United States Bankruptcy Code.
2. The Debtor's case has now been pending before this Court under Chapter
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11 for over one year and the Debtor has failed to file and/or obtain
approval of a disclosure statement an/or confirmation of a plan of
reorganization.
3. The Debtor has also failed to remain current with the filing of the monthly:
operating income and expense reports required pursuant to the U. S.
2
trustee Operating Guideline and LBR 201 5.1. To date, reports for the
months of February through April 2006, are past due. Further, the report
for the month of May will be due prior to the hearing on the present
Motion.
4. Upon information and belief, the Debtor has also failed to remain current
with the payment of his post-petition obligations including, but not
necessarily limited to the payment of statutory fees pursuant to 28 U.S.C.
1930(a)(6). The U. S. Trustee is unable to determine the exact amount
due and owing given the Debtor's failure to file the required reports as set
forth above.
5. The Debtor's failure and apparent inability to obtain confirmation of any
Plan of Reorganization, and his apparent inability to remain current with
his post-petition obligations may evidence a continuing loss to or
diminution of the Debtor's estate, the absence of a reasonable likelihood
of rehabilitation, and the Debtor's inability to effectuate a plan of
reorganization, and may constitute unreasonable delay by the Debtor
which is prejudicial to creditors, all of which are grounds for conversion
or dismissal of this case pursuant to 11 U.S.C. 9 11 12(b).
For the reasons set forth above, among others, the U. S. trustee respectfully
requests that the Court conduct a hearing on the above issues and dismiss
this case, or convert it to Chapter 7. If the case is dismissed and any quarterly
fees remain due and owing at the time of the hearing on this matter, the U. S.
trustee requests that the Court enter a judgment order against the Debtor and
in favor of the United States trustee in the amount of all accrued fees owed
pursuant to 28 U.S.C. 4 1930(a)(6) as of the hearing date. The U. S. trustee
specifically reserves the right to supplement her motion at or prior to the
hearing thereon.
3
DEBTOR ANSWER TO TRUSTEE REPRESENTATIONS:
1. The Debtor commenced this case on May 23,2005, by filing a voluntary
petition under Chapter 11 of the United States Bankruptcy Code, as Pro
Se. On June 13, 2005, the United States Bankruptcy Court filed an
ORDER to DISMISS the case on the grounds that timely documents were
not filed by the DEBTOR. On June 20, 2005, the DEBTOR filed a
response and appeal to that ORDER stating that The DEBTOR filed the
required documents to Hugh J. Ward, Bankruptcy Analyst, of the United
States Department of Justice, Office of the United States Trustee, Eastern
District Court of Pennsylvania, 833 Chestnut Street, Suite 300,
Philadelphia, Pennsylvania, 19107; at the request of Mr. Hugh Ward. On
October 7th, 2005, The Honorable Judge Anita Brody of The United
States District Court For the Eastern District of Pennsylvania, filed an
APPEAL ORDER that the United States Bankruptcy Court REINSTATE
the case and OVERULE the ORDER of Judge Theodore Twardowski on
June 13, 2005 that had the case DISMISSED. The case was reinstated in
November of 2005.
2. On December 15th, 2005, the DEBTOR appeared for a 3 41(a) Meeting of
Creditors in the 3rd Floor Conference Room in the Reading Bankruptcy
Court with Hugh J. Ward, Bankruptcy Analyst, of the United States
Department of Justice, presiding. In that meeting the DEBTOR was asked
when he would be able to submit a plan of reorganization, as required.
The DEBTOR answered and restated his initial reason for filing the
Bankruptcy Petition; the issues were defined and described in the Federal
Civil Action No. 05-2288 (submitted to the Bankruptcy Court and recorded
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Thursday
as a related document on or about November 8, 2005 titled FINDING OF
FACTS RESULTING IN CHAPTER 11 BANKRUPTCY), filed on May 16,
4
2005 in The United States District Court For the Eastern District of
Pennsylvania; one week prior to filing a voluntary petition under Chapter
11 of the United States Bankruptcy Code. The DEBTOR articulated that
he was waiting to amend the complaint and could not file a plan of
reorganization until the Honorable Judge Mary McLaughlin of the United
States District Court For the Eastern District of Pennsylvania responded to
a request. On January 7th, 2006 The Honorable Judge Mary McLaughlin
ORDERED (Exhibit A) the DEBTOR serve the DEFENDANTS the initial
complaint and The Court will consider the DEBTOR's request to
amend the complaint and for a hearing after the summons and
complaint are served. On June 19, 2006, the DEBTOR was granted
as stated 1) the request shall be deemed a motion to file an
amended complaint; and 2) the motion is GRANTED. See Exhibit B.
3. On January 24, 2006 Fulton Bank filed a Motion for Relief from Automatic
Stay Pursuant to 11 U.S.C. Section 362 and Bankruptcy Rule 9014. On
April 8th, 2006 the DEBTOR filed an appeal to the ORDER granting Fulton
Bank Relief From The Automatic Stay. On June 8, 2006 in THE
EASTERN DISTRICT OF PENNSYLVANIA In the matter of: STANLEY J.
CATERBONE CA 06-1538 filed a REPLY BRIEF OF THE FULTON
BANKS ANSWER TO APPEAL and is awaiting a decision from the
Honorable Judge Anita Brody (See Exhibit C). Fulton Bank is a
DEFENDANT in the Federal Civil Action No. 05-2288, and is accused of
wrongdoing that has material impact to the DEBTORs financial hardship
and the filing of this case.
4. The Debtor was forced into filing a voluntary petition under Chapter 11 of
the United States Bankruptcy Code, as Pro Se due to the following
mitigating circumstances as defined and recorded in Federal Civil Action
No. 05-2288:
5
a. The following is copy of an Affidavit that was filed on January 31,
1998 in the chambers of Honorable Stewart Dalzell in a desperate
attempt for due process. In November of 1997 the DEBTOR
sought the counsel of Ms. Christina Rainville while employed by the
firm of Schnader, Harrison, Segal and Lewis. This was the last
attempt by the DEBTOR of seeking competent legal counsel. Ms.
Rainville acknowledged and communicated to the DEBTOR that
the firm had barred her from representing any additional clients
from Lancaster County shortly after the DEBTORs solicitation;
which she had plenty of solicitations from other potential Lancaster
County clients. In the document titled DEBTOR Finding of Facts it
is clearly documented that the DEBTOR did attempt to solicit and
retain several competent lawyers since 1987, all of who displayed
conflicts of interests, and some went so far as to violate rules of
ethics concerning client/attorney privilege. The DEBTOR made
attempts for due process at various times during the past 19 years.
The DEBTORs filing as Pro Se Litigant was the only alternative
available that would protect and preserve the DEBTORs legal
standing and right to due process. The following excerpt from the
Affidavit will demonstrate to the court a factual account of the
events that precluded and provided the DEBTOR the legal standing
to file the Federal Civil Action No. 05-2288 on May 16, 2005.
b. AFFIDAVIT OF 1998 TO HONORABLE JUDGE STEWART
DALZELL I, Stanley J. Caterbone being duly sworn according
to law, make the following affidavit concerning the years
during which I was maliciously and purposefully mentally
abused, subjected to a massive array of prosecutorial
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Thursday
misconduct, while enduring an exhaustive fight for the
sovereignty of my constitutional rights, shareholder rights,
civil liberties, and right of due access to the law. I will detail a
deliberate attempt on my life, in 1991, exhibiting the dire
6
consequences of this complaint. These allegations are
substantiated through a preponderance of evidence including
but not limited to over 10,000 documents, over 50 hours of
recorded conversations, transcripts, and archived on several
digital mediums. A Findings of Facts is attached herewith
providing merits and the facts pertaining to this affidavit.
These issues and incidents identified herein have attempted to
conceal my disclosures of International Signal & Control, Plc.
However, the merits of the violations contained in this affidavit
will be proven incidental to the existence of any conspiracy.
These violations began on June 23, 1987 while I was a resident
and business owner in Lancaster County, Pennsylvania, and
have continued to the present. These issues are a direct
consequence of my public disclosure of fraud within
International Signal & Control, Plc., of County of Lancaster,
Pennsylvania, which were in compliance with federal and state
statutes governing my shareholder rights granted in 1983,
when I purchased my interests in International Signal &
Control., Plc.. I will also prove intentional undo influence
against family and friends towards compromising the
credibility of myself, with malicious and self-serving
accusations of insanity. I conclude that the courts must
provide me with fair access to the law, and most certainly, the
process must void any technical deficiencies found in this
filing as being material to the conclusions. Such arrogance by
the Courts would only challenge the judicial integrity of our
Constitution.
c. The activities contained in the FINDING OF FACTS RESULTING
IN CHAPTER 11 BANKRUPTCY may raise the argument of fair
disclosure regarding the scope of law pertaining to issues and
activities compromising the National Security of the United States.
7
The DEBTOR can successfully argue that due to the criminal
record of International Signal & Control, including the illegal transfer
of arms and technologies to an end user Iraq, the laws of disclosure
must be forfeited by virtue that said activities posed a direct
compromise to the National Security of the United States.; the
DEBTOR will argue that his public allegations of misconduct within
the operations of International Signal & Control, Plc., as early as
June of 1987 resulted in a massive array of retaliation and
discrimination towards the DEBTORS reputation, businesses, and
all related financial, personal and business affairs. Stock holdings in
the following interests were diminished as a direct result; Financial
Management Ltd., FMG Advisory Ltd., and Advanced Media Group
Ltd.
d. The DEBTOR can successfully prove that the following activities
and the prosecutorial misconduct were directed at intimidating the
DEBTOR from continuing his public disclosures regarding illegal
activities within International Signal & Control, Plc,. On June 23,
1998, International Signal & Control, Plc. was negotiating for the
$1.14 billion merger with Ferranti International, of England. Such
disclosures threatened the integrity of International Signal &
Controls organization, and Mr. James Guerin himself,
consequently resulting in adverse financial considerations to all
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Thursday
parties if such disclosures provided any reason to question the
integrity of the transaction, which later became the central criminal
activity in the in The United States District Court For The Eastern
District Of Pennsylvania. The DEBTOR is also filing a Federal
False Claims Act, described as follows: The whistleblower
receives a percentage of any money the government recovers.
This is done under the qui tam provisions of the Federal False
Claims Act. The whistleblower (known as a qui tam relater)
files a lawsuit. The U.S. Department of Justice has 60 days to
8
investigate the claim and decide whether it will join in the legal
action. If the government joins the lawsuit, the whistleblower
can receive between 15 and 25 percent of the recovery
depending on the value of the information provided. Similar
laws exist in Florida and other states.
e. The DEBTOR can prove that undo influence was also responsible
for the adverse consequences and fabricated demise of his
business enterprises and personal holdings. The dire
consequences of the DEBTORs failed business dealings (which
were few and far between) will demonstrate and substantiate
financial incentive and motive. Defendants responsible for
administering undo influence and interference in the DEBTORs
business and commercial enterprises had financial interests. The
Commonwealth of Pennsylvania as a taxing authority and
Lancaster County-at-large had a great investment in International
Signal & Control, Plc., whose demise would facilitate grave
consequences to its economic development. . Commonwealth
National Bank (Mellon), Fulton Bank, Farmers First Bank, and
Hamilton Bank (All had commercial interests with the DEBTOR)
would have less competition in the mortgage banking business and
other financial services, violating the lender liability laws and were
unjustly enriched. The Steinman Enterprises, Inc., (Lancaster
Newspapers) was a competitor in the information technologies
business, and would protect the public domain from truthful
disclosure though its undo influence. The DEBTOR can also
provide significant evidence of said perpetrators violating common
laws governing intellectual property rights and anti-trust regulations.
f. Given the DEBTORs continued and obstructed right to due
process of the law, beginning in June of 1987 and continuing to the
9
present, the DEBTOR must be given fair access to the law with the
opportunity for any and all remedial actions required under the
federal and state statutes. The DEBTOR can successfully argue
his rights to the courts to rightfully claim civil actions with regards to
the totality of these activities, so described in the FINDING OF
FACTS RESULTING IN CHAPTER 11 BANKRUPTCY, regardless
of any statute of limitations. Given the DEBTORs genuine efforts
for due process has been inherently and maliciously obstructed, the
courts must provide the opportunity for any and all remedial actions
deserving to the DEBTOR must be preserved, thus extending to
this case.
g. Under current laws, the DEBTORs intellectual capacity has been
exploited and fabricated as a means of discrediting the DEBTORs
disclosures and obstructing the DEBTORs right to due process of
the law. The DEBTOR has always had the proper rights under
federal and state laws to file claims for slander, libel, and
defamation of character. The logic and reason towards the
DEBTORs activities and actions are a matter of record,
demonstrated in the Findings of Facts, contained herein. The
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DEBTOR can demonstrate that the incidents of illegal prosecutions
were purposefully directed at intimidating the DEBTOR from further
public disclosure into the activities of International Signal & Control,
Plc., consequently obstructing the DEBTORs access to due
process of the law. Due to the fact that these activities to which the
DEBTORs perpetrators were protecting were illegal activities, the
RICO statutes would apply.
h. To this day, the DEBTOR has never been convicted of any crime
with the exception of 2 speeding tickets. The FINDING OF FACTS
RESULTING IN CHAPTER 11 BANKRUPTCY identifies 34 (not
including instances from 1998 to the present) instances of
10
prosecutorial misconduct during the prosecutions and activities
beginning on June 23, 1987 and continuing to today.
5. The Debtor filed all required reports for the months of February through
April 2006 on June 6, 2006. The Debtor has filed numerous complaints
with several law enforcement authorities as to hacking and sabotaging of
the Debtors computer and Internet technologies that are required for this
case and all other civil actions in Federal and State courts. These
incidents were directly relating to the delaying of the DEBTOR filing the
requirements on a timely basis. Several complaints were filed with the
Federal Bureau of Investigations Internet Fraud Unit; Those complaints
identified as; I05120608348825; I05120804514805; and
I06010506177009. The Debtor also filed claims with Harleysville
Insurance Company Claim No. 654619 of Policy No. HOA 193468
pertaining to the damaging and theft of computer equipment. These
activities were also reported to the Southern Regional Police Department
of Conestoga, Pennsylvania. The DEBTOR has also had several files and
documents stolen and taken from his possession causing numerous
problems and delays with this and other litigation matters. These activities
were reported to the Southern Regional Police Department, the Manor
Township Police Department, of Lancaster, Pennsylvania, and the
Millersville Borough Police Department of Millersville, Pennsylvania.
6. The DEBTOR had left two (2) checks, drawn on his Ameritrade Money
Market Account, at the offices of The United States Trustee, Eastern
District Court of Pennsylvania, 833 Chestnut Street, Suite 300,
Philadelphia, Pennsylvania, 19107; for the payment of fees to the United
States Trustee. Those checks, which had sufficient funds, were not
deposited as required, and Mr. Hugh Ward provided reasons that were not
verified. Since that time, because of the delays, and the unwillingness of
certain persons and companies to pay the DEBTOR certain financial
obligations, the DEBTOR has exhausted his cash holdings. This can be
11
ascertained by the granting of the Informa Pauperis GRANTED by the
Berks County Court of Common Pleas. See Exhibit D.
7. The DEBTOR has had numerous fabricated criminal charges from the
Southern Regional Police Department and the East Lampeter Police
which were in retaliation for the DEBTORs civil actions filed in Federal
and State Courts; and as a means to disrupt and delay this case and other
civil actions. The DEBTOR is seeking remedial actions in both Federal
and State courts pertaining to prosecutorial misconduct and other related
causes of actions from the Southern Regional Police Department and
Lancaster General Hospital.
8. The DEBTOR has several DEFENDANTS that are in DEFAULT in the
Pennsylvania Court of Common Pleas that JUDGEMETENTS will include
financial claims that are yet to be collected.
9. The DEBTOR will file the required report for the month of May prior to the
hearing on the present Motion.
The DEBTOR has suffered extensive financial hardship due to circumstances
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Thursday
and wrongdoing promulgated and executed by others beginning and continuing
from 1987. The preceding extenuating circumstances and a predatory
environment of discrimination has left the DEBTOR indigent. The DEBTORs
resume and capabilities statement (Exhibit E) clearly demonstrates the DEBTOR
has been successful and profitable when these efforts are minimal. The
DEBTOR also has demonstrated his expertise in the areas of interest that the
Advanced Media Group has pursued.
The DEBTOR has finally entered these allegations and claims in the Federal
Courts, after an exhausting effort. The DEBTOR is seeking financial remedies
and intends to cure all of the outstanding debts of the CREDITORS as soon as
possible, in full. It would be unfair, and would place the DEBTOR in severe
hardship if the Bankruptcy Court did not consider the totality of the DEBTORs
mitigating circumstances pertaining to the filing of a plan of reorganization. The
12
DEBTOR has requested several meetings with Hugh J. Ward, Bankruptcy
Analyst, of the United States Department of Justice, and the Bankruptcy Court to
cure this deficiency, with no avail.
The DEBTOR seeks the necessary time to address these deficiencies while
the Federal and State claims are fairly and properly adjudicated and financial
remedies are enforced.
The DEBTOR has also included a CD ROM disc that contains all supporting
documents and related materials to support the FINDING OF FACTS
RESULTING IN CHAPTER 11 BANKRUPTCY.
JUDGMENT AGAINST DEBTOR AND ORDER DISMISSING CASE should be
DENIED.
DATED: June 22, 2006 ________________________________
Stanley J. Caterbone, Pro Se Litigant
Advanced Media Group
Dated: June 9, 2006
220 Stone Hill Road
Conestoga, PA 174516
717-431-8184
717-427-1821 facsimile
amgroup01@msn.com
www.amgglobalentertainmentgroup.com
13
CERTIFICATE OF SERVICE
U.S. Bankruptcy Court
Eastern District of Pennsylvania (Reading)
The Madison, Suite 300
400 Washington Street
Reading, PA 19601
Bankruptcy Petition #: 05-23059-tmt
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, PA 19516
SSN: xxx-xx-0959
Debtor Answer To United States Trustee's
Motion To Dismiss Or Convert To Chapter 7
Service To:
Mr. Hugh Ward
Department of Justice
Office of the Trustee
833 Chestnut Street, Suite 500
Philadelphia, PA 19107
Fax: 215-597-5795
Dave P. Adams
Department of Justice
Office of the Trustee
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833 Chestnut Street, Suite 500
Philadelphia, Pennsylvania 19107
Fax: 215-597-5795
Certificates of Service were sent by 1st class United States mail on June 22, 2006.
By, _____________________________
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
Amgroup01@msn.com
717-431-8184 phone
717-427-1621 facsimile
14
EXHIBIT A
SN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE
v. JAN:
: 6 2006
LANCASTER COUNTY PRISON, $'c&& NO. 05-2288
ORDER
---AND NOW, this 5th day of January, ~FOGu,p on--- consideration of the plaintiff's December 17, 2005 letter to the
Court requesting to amend the complaint and for a hearing, whereas
the complaint was filed and summons were issued to the pro se
plaintiff on May 16, 2005, and whereas the plaintiff has not served
the summons and complaint within 120 days after filin- g the - , . .. . . . , -. .. ... ' . . . , . . . .
complaint, -a s required by ~ule41 m) if the ~eheral~ u l kof Civil
Procedure, IT IS HEREBY ORDERED that the plaintiff shall serve the
summons and complaint on or before January 25, 2006. If the
plaintiff does not do so, the Court will dismiss the complaint
without prejudice. The Court will consider the plaintiff's request
to amend the complaint and for a hearing after the summons and
complaint are served.
IT IS FURTHER ORDERED that the plaintiff's motion to
file the complaint under seal (Docket No. 2) is DENIED. A dacument
in a civil action may be filed under seal only if the action is
brought pursuant to a federal statute that prescribes the sealing
of the record, or where good cause is established. +@i',,,,
5.1.5 (a) (1) of the Local Rules of Civil Procedure; Pansv v. Borough
of Stroudsburg, 23 F.3d 772, 786 (3d Cir. 1994). The party seeking
confidentiality may establish good cause by showing that disclosure
will work a "clearly defined and serious injury" to that party;
"broad allegations of harm, unsubstantiated by specific examples or
articulated reasoning," are insufficient. Id. Even when judged by
the less stringent standards by which courts judge p~ se
pleadings, the plaintiff has not brought suit under a statute that
requires the-sealbgaf the-record, or s-h-o wn good cause for doing
- -so. The plaintiff alleges that several threats have been made on
his life, but does not provide any facts to support this
allegation, or explain how these alleged threats relate to his
complaint.
BY THE COURT:
15
EXHIBIT B
IN THE UNITED STATES DISTRICT COURT
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FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE CIVIL ACTION
v.
LANCASTER COUNTY PRISON.
NO. 05-2288
ORDER
FilEP JUN 1 9 20M
.. . . ~.. - .. . . ~~.. -~ ~ . ~ .~~ -- . .
AND NOW, this 19th day of June, 2006, upon
consideration of the plaintiff's reply brief in support of his
motion for an ex parte meeting with the Court, IT IS HEREBY
ORDERED that, to the extent that the plaintiff is requesting
leave to file an amended complaint: 1) the request shall be
deemed a motion to file an amended complaint; and 2) the motion
is GRANTED. Although the Court dismissed many of the claims in
the original complaint as time-barred, and the plaintiff has not
attached a proposed amended complaint to demonstrate that he will
be able to cure the deficiencies in the original complaint, the
plaintiff is entitled to amend his pleadings once as a matter of
course before a responsive pleading is served. Fed. R. Civ. P.
15(a); Shane v. Fauver, 213 F.3d 113, 115 (3d Cir. 2000). NO
responsive pleading has yet been filed in this case.
BY TEE COURT:
JUN 1 9 2006
CLERK OF COUH~
16
EXHIBIT C
1
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
In the matter of:
STANLEY J. CATERBONE CA 06-1538
APPELLANT STANLEY J. CATERBONES REPLY BRIEF
OF THE FULTON BANKS ANSWER TO APPEAL
DATED: June 8, 2006 __________________________
Advanced Media Group
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-421-1621 Facsimile
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I. STATEMENT OF THE CASE PER FULTON BANK
On or about May 23,2005, Appellant, Stanley J. Caterbone ("Caterbone") filed a pro se
voluntary Chapter 11 bankruptcy petition in the United States Bankruptcy Court for the
Eastern District of Pennsylvania (Reading) to Docket No. 05-23059. Appellee Fulton Bank
(Futlon) is the holder of a second claim against Caterbone in the Bankruptcy Case by
virtue of a Note (the Note) dated January 20,1995 and a Mortgage (the "Mortgage") dated
January 20, 1995 on Caterbone's property located at 220 Stone Hill Road, Township of
Conestoga, Lancaster County, Pennsylvania (the "Property"). After Caterbone failed to
make post-petition payments on the Note and Mortgage for the months of June 2005
through January 2006, Fulton filed its motion for Relief from the Automatic Stay on January
24,2006. On or about February 2, 2006, Caterbone filed Debtor's Response to Motion of
Fulton Bank for Relief from Stay, and a hearing was held on Fulton's Motion for Relief from
Stay on February 21,2006 before the Honorable Richard E. Fehling. At the hearing,
testimony was given on behalf of Fulton, and Caterbone testified on his own behalf.
Thereafter, on February 23,2006, the Bankruptcy Court issued an Order granting Fulton's
Motion for Relief from the Automatic Stay and providing its basis for granting such relief. On
or about March 17,2006, Caterbone filed his Notice of Appeal with respect to the
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Bankruptcy Court's February 23,2006 Order (the "Appeal"). The Appeal currently is pending
before this Court. Caterbone, after obtaining from this Court an extension of time through
May 15,2006 to file a Brief in support of his Appeal, filed a document titled "Answer to
Complaint" on May 15,2006. This Brief is submitted in opposition of Caterbone's Appeal.
II. ARGUMENT BY FULTON BANK
The Bankruptcy Court's February 23,2006 Order granting Appellee's Motion for Relief from
the Automatic Stav should be affirmed because Appellant has failed to show any clearly
erroneous findings of fact or incorrect conclusions of law by the Bankruptcy Court. Neither
of the documents Caterbone has filed in this appeal alleges, let alone establishes, that
there were any clearly erroneous findings of fact or incorrect conclusions of law by the
Bankruptcy Court, nor has Caterbone filed any designation of the issues to be presented on
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appeal. this Court's review. As found by the Bankruptcy Court at the February 21,2006
hearing and stated in its February 23,2006 Order, Fulton established at the hearing that
Caterbone made no post-petition payments on the Mortgage since May of 2005, and
Caterbone failed to meet his burden of showing that Fulton's interests in the Property were
adequately protected. These findings of fact may not be set aside on appeal unless clearly
erroneous. See Federal Rules of Bankruptcy Procedure Rule 8013. The Bankruptcy Court's
conclusions of law set forth in the February 23,2006 Order are equally clear and concise
and are fully supported by bankruptcy law. Fulton, which had the initial burden to
demonstrate that "cause" existed for the Bankruptcy Court to grant relief, did so by
establishing that Caterbone defaulted in making post-petition mortgage payments.
February 23,2006 Order (citing In re Duoell, 235 B.R. 783,788 (Bankr. E.D. Pa. 1999); m,
837 F.2d 124, 128 (3rd Cir. 1988); In re Skipworth, 69 B.R. 526,527-28 (Bankr. E.D. Pa.
1987)). Then, the burden shifted to Caterbone to establish the absence of "cause", which
Caterbone may have done by showing that Fulton was adequately protected. Id. (citing m,
235 B.R. at 789; Skipworth, 69 B.R. at 527-28). Once Fulton met its initial burden by
demonstrating "cause" by virtue of Caterbone's failure to make past-petition mortgage
payments, the ultimate burden of proof on tlie issue of adequate protection under 11 U.S.C.
$362(d)(1) was on Caterbone. Id. (citing Skipworth, 69 B.R. at 528). Since Caterbone failed
to meet his burden of establishing the absence of "cause", having introduced no evidence
whatsoever of adequate protection, the Bankruptcy Court correctly found that Fulton was
entitled to an order granting its Motion for Relief from the Automatic Stay with respect to the
Property.
III) APPELLANTS REPLY FOR CONSIDERATION OF THE COURT
On May 23, 2005 Appellant filed a filed a pro se voluntary Chapter 11 bankruptcy petition in
the United States Bankruptcy Court for the Eastern District of Pennsylvania (Reading)
Docket No. 05-23059. In several filings with the Bankruptcy Court Appellant described the
circumstances, which caused the Appellant to file for Bankruptcy protection. In 1998 the
Appellant filed an affidavit with the Honorable Judge Stewart Dalzall which will clearly and
concisely explain to the Court the reason for Appellants Petition for Bankruptcy. The
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Appellant wishes the Court to review this Affidavit to review the reasons for the cause of
filing for bankruptcy protection. This review of the Appellants history is material to the
Courts decision in the Appeal for several reasons:
1. It will demonstrate that the Appellant has a factual accounting of events that
include misconduct and wrongdoing by the Appellee during the course of the
Appellants commercial relationship with the Appellee.
2. It will demonstrate that the Appellants allegations that the Appellant is
operating as a criminal enterprise as stated during testimony in the hearing
on Fulton's Motion for Relief from Stay on February 21,2006 before the
Honorable Richard E. Fehling is with merit and contains many violations with
regards to lender liability laws and statutes, and violations of anit-trust
regulations considering the Appellants successful operation of a mortgage
banking operation that was competitive with the Appellees efforts to finance
and mortgage commercial real estate properties in excess of $3 million in fair
market value.
3. It will demonstrate that the Appellants quest for due process and legal
remedies continue with regards to the issues raised in the Affidavit to the
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Honorable Judge Stewart Dalzall.
4. It will demonstrate that the Appellants motion for Relief from the Automatic
Stay on January 24,2006 is a further attempt to subvert, obstruct, and divert
the Appelleants right to due process regarding the issues that continue to
harm the Appellant.
IV) AFFIDAVIT OF 1998 TO HONORABLE JUDGE STEWART DALZALL
I, Stanley J. Caterbone being duly sworn according to law, make the following affidavit
concerning the years during which I was maliciously and purposefully mentally abused,
subjected to a massive array of prosecutorial misconduct, while enduring an exhaustive
fight for the sovereignty of my constitutional rights, shareholder rights, civil liberties, and
right of due access to the law. I will detail a deliberate attempt on my life, in 1991,
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exhibiting the dire consequences of this complaint.. These allegations are substantiated
through a preponderance of evidence including but not limited to over 10,000 documents,
over 50 hours of recorded conversations, transcripts, and archived on several digital
mediums. A Findings of Facts is attached herewith providing merits and the facts
pertaining to this affidavit. These issues and incidents identified herein have attempted to
conceal my disclosures of International Signal & Control, Pls.,. However, the merits of
the violations contained in this affidavit will be proven incidental to the existence of any
conspiracy.
The plaintiff protests the courts for all remedial actions mandated by law. Financial
considerations would exceed $1 million.
These violations began on June 23, 1987 while I was a resident and business owner in
Lancaster County, Pennsylvania., and have continued to the present. These issues are a
direct consequence of my public disclosure of fraud within International Signal & Control,
Plc., of County of Lancaster, Pennsylvania, which were in compliance with federal and
state statutes governing my shareholder rights granted in 1983, when I purchased my
interests in International Signal & Control., Plc.. I will also prove intentional undo influence
against family and friends towards compromising the credibility of myself, with malicious
and self-serving accusations of insanity. I conclude that the courts must provide me
with fair access to the law, and most certainly, the process must void any technical
deficiencies found in this filing as being material to the conclusions. Such
arrogance by the Courts would only challenge the judicial integrity of our
Constitution.
1. The activities contained herein may raise the argument of fair disclosure regarding the
scope of law pertaining to issues and activities compromising the National Security of
the United States. The Plaintiff will successfully argue that due to the criminal record of
International Signal & Control, including the illegal transfer of arms and technologies to
an end user Iraq, the laws of disclosure must be forfeited by virtue that said activities
posed a direct compromise to the National Security of the United States.; the plaintiff
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will argue that his public allegations of misconduct within the operations of International
Signal & Control, Plc., as early as June of 1987 ; demonstrated actions were proven to
protect the National Security of the United States.. The activities of International Signal
& Control, Pls., placed American troops in harms way. The plaintiffs actions should
have taken the American troops out of harms way causing the activities of the
International Signal & Control, Plc., to cease and desist. .
All activities contained herein have greatly compromised the National Security of the
United States, and the laws of jurist prudence must apply towards the Plaintiffs intent
and motive of protecting the rights of his fellow citizens. Had the plaintiff been protected
under the law, and subsequently had the law enforcement community of the
Commonwealth of Pennsylvania, and the County of Lancaster administer justice, United
States troops may have been taken out of harms way, as a direct result of ceasing the
operations of International Signal & Control, Plc., in as early as 1987.
2. The plaintiff will successfully prove that the following activities and the prosecutorial
misconduct were directed at intimidating the plaintiff from continuing his public
disclosures regarding illegal activities within International Signal & Control, Plc,. On
June 23, 1998, International Signal & Control, Plc was negotiating for the $1.14 billion
merger with Ferranti International, of England. Such disclosures threatened the integrity
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of International Signal & Controls organization, and Mr. James Guerin himself, ,
consequently resulting in adverse financial considerations to all parties if such
disclosures provided any reason to question the integrity of the transaction, which later
became the central criminal activity in the in The United States District Court For The
Eastern District Of Pennsylvania.
3. The plaintiff will prove that undo influence was also responsible for the adverse
consequences and fabricated demise of his business enterprises and personal
holdings. The dire consequences of the plaintiffs failed business dealings, will
demonstrate and substantiate financial incentive and motive. Defendants responsible
for administering undo influence and interference in the plaintiffs business and
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commercial enterprises had financial interests. The Commonwealth of Pennsylvania as
a taxing authority, Lancaster County had a great investment whos demise would
facilitate grave consequences to its economic development. . Commonwealth National
Bank (Mellon) would have less competition in the mortgage banking business and other
financial services, violating the lender liability laws. The Steinman Enterprises, Inc.,
would loose a pioneer in the information technologies industries, and would protect the
public domain from truthful disclosure. The plaintiff will also provide significant evidence
of said perpetrators violating common laws governing intellectual property rights.
4. Given the plaintiffs continued and obstructed right to due process of the law, beginning
in June of 1987 and continuing to the present, the plaintiff must be given fair access to
the law with the opportunity for any and all remedial actions required under the federal
and state statutes. The plaintiff will successfully argue his rights to the courts to
rightfully claim civil actions with regards to the totality of these activities, so described in
the following Findings of Facts, regardless of any statute of limitations. Given the
plaintiffs genuine efforts for due process has been inherently and maliciously
obstructed, the courts must provide the opportunity for any and all remedial actions
deserving to the plaintiff.
5. Under current laws, The plaintiffs intellectual capacity has been exploited as means of
discrediting the plaintiffs disclosures and obstructing the plaintiffs right to due process
of the law. The plaintiff has always had the proper rights under federal and state laws
to enter into contract. The logic and reason towards the plaintiffs activities and actions
are a matter of record, demonstrated in the Findings of Facts, contained herein..
The plaintiff will argue and successfully prove that the inherent emotional consequences
to all of the activities contained herein have resulted in Post Traumatic Stress
Syndrome. The evidence of the stress subjected to the plaintiff, will prove to be the
direct result of the activities contained herein, rather than the exhibited behavior of any
mental deficiency the plaintiff may or may not have. The courts must provide for the
proper interpretations of all laws, irrespective of the plaintiffs alleged intellectual
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capacity. The plaintiff successfully argue that his mental capacity is of very little legal
consequence, if any; other than in its malicious representations used to diminish the
credibility of the plaintiff.
6. The plaintiff will demonstrate that the following incidents of illegal prosecutions were
purposefully directed at intimidating the plaintiff from further public disclosure into the
activities of International Signal & Control, Plc., consequently obstructing the plaintiffs
access to due process of the law. Due to the fact that these activities to which the
plaintiffs perpetrators were protecting were illegal activities, the RICO statutes would
apply.
To this day, the plaintiff has never been convicted of any crime with the exception of 2
speeding tickets. The following report identifies 34 instances of prosecutorial
misconduct during the prosecutions and activities beginning on June 23, 1987 and
continuing to today.
7) Given the preponderance of evidence associated with this affidavit, the courts must
conclude that In The United States District Court For The Eastern District of
Pennsylvania, Federal Judge Stuart Dalzalls findings of April 14, 1997, in the Lisa
Lambert case identifying acts of Prosecutorial Misconduct, now, by virtue of this
affidavit, now discloses evidence of a bona fide pattern of prosecutorial misconduct, in
the Commonwealth of Pennsylvania and in the County of Lancaster. Criminal law must
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now determine if these disclosures would warrant investigations of a possible criminal
enterprise. This affidavit is of material interest to the Lambert case, for the very fact that
this affidavit compromises the very same integrity of the court, which would tip the
scales of justice even further from the peoples deserving rights..
In the truthfulness of this affidavit, The Commonwealth must concede Lisa Michelle
Lambert to balance the scales of justice, which no other act could accomplish. The
Commonwealth must yield the criminal culpability of Lisa Michelle Lambert to the
superior matter of restoring the integrity to the courts; by its own admission of
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wrongdoing, assuring the peoples of its commitment to administer equalities of justice,
not inequalities of justice. Balancing the scales of justice. Anything less, would take the
full scope of jurisdiction out of the boundaries of our laws, negating our democracy and
impugning the Constitution of the United States.. The plaintiff must be restored to
whole.
V. ALLEGATIONS OF WRONGDOING BY THE APPELLEE
1. 1987 - Libel and slander pertaining to a FULTON BANK employee (Jill Carson),
against my person while a customer of FULTON BANK that contributed to my
demise and the demise of my company and its subsidiaries Financial
Management Group, Ltd. A check for insurance for my plain that was posted
against my account at FULTON Bank in 1987, was intentionally and maliciously
used for a reason for the wrongful repossession by the then Commonwealth
Bank, resulting in several violations of lender liability against both FULTON
BANK and COMMONWEALTH BANK(MELLON BANK), some 30 days before
my first payment on the loan with COMMONWEALTH BANK.
2. 1990 - Diversion of funds regarding a check that was erroneously posted against
my account in 1991, that involved Mr. Hostettler, the branch manager of the
FULTON BANK branch at the Greenfield Corporate Center.
3. 1995 - The diversion of funds and extortion of funds by FULTON BANK from the
late Thomas P. Caterbone, my brother, in 1995, from his company Country
Funding, which was a primary circumstance surrounding his suicide in 1996.
4. 2006 - The undo influence of the FULTON BANK account for Toms Project Hope
account that I was the sole signatory and depositor of funds in 2005 by a
FULTON BANK employee or employees.
5. The diversion of funds from the Appellant by the Appellee with regards to the
purchase of a Visa Giftcard on June 1, 2006.
VI) APPELLANTS ARGUMENT
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The Appellant is requesting and wising the Court to ignore the Appellees continued
arrogance and undo influence concerning the issues that have required the Appellant to file
for bankruptcy protection in the voluntary Chapter 11 bankruptcy petition in the United
States Bankruptcy Court for the Eastern District of Pennsylvania (Reading) to Docket No.
05-23059. The Appellant is requesting the Court to use its discretionary powers to allow
the Appellants civil actions currently before The United States District Court For The
Eastern District Of Pennsylvania in STANLEY J. CATERBONE Plaintiff, VS. FULTON
BANK, Civil Action No: 05-2288, under the jurisdiction of the Honorable Mary A.
McLaughlin to continue without interruption and prejudice by the Appellee. By vacating the
Automatic Stay, the Court will enforce an equitable and justifiable right to due process that
the Constitution of the United States affords every citizen of this country. The Appellees
financial interest in the property is clearly protected by virtue of its 1st place lien, and the
Appellants continued payment of that debt would be protected if the various courts would
only uphold the Appellants civil rights that are afforded under the Constitution of the United
States.
VII) CONCLUSION
Based on the foregoing, Appellant, Stanley J. Caterbone, respectfully requests that this
Court deny the Bankruptcy Court's February 23,2006 Order granting Fulton Bank's Motion
for Relief from the Automatic Stay with respect to the Property.
DATED: June 8, 2006 __________________________
Advanced Media Group
Stanley J. Caterbone, Pro Se
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220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-421-1621 Facsimile
17
EXHIBIT D
COMMONWE>-LTH OF PENNSYLVPNIA : TN TEE COURT OF COHMGN PLEBS
OF BERKS COUNTY, PENNSYLVANI-Q
vs . . . Docket No. a l e - S A - oc
S4ad C&+WL a i \ 6
ORDER
AND NOW, t h i s -/y'daY of 7'7&I2 C , 20&
t h e w i t h i n P e t l t i o n t o Proceed i n Forma Pauperis is
-G4&3+T-E-D-ai-Kts-tiIM&e ~ - f t & - i + - h e -----U-tproceed.
0 AND NOW, t h i s - day of , a e o d
t h e w i t h i n P e t i t i o n t o Proceed i n Forma Pauueris i s
DENIED end s a i d Defendant s h a l l pay t h e f i l i n g c o s t s 2s
r e q u i r e d by t h e Clerk of Courts of Berks County within
t h i r t y days from the d a t e of t h i s o r d e r .
6!:Etj v. if;.;.*i,l, Pp.
Copies t o : Computer
D i s t r i c t Attorney
. ~ *; L, !. ;;;. ,'$j-*-1>, Judge 3-U: $ d . > . ~tC2>
.. -- Defendant .. .
18
EXHIBIT E
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
www.amgglobalentertainmentgroup.com
infor@amgglobalentertainmentgroup.com
717.731.8184 Phone
717.427-1621 Fax
? 1984 To 1987
In 1984/85 We had helped to develop strategic planning for Sandy Wiel, former
President of Citi Group (the largest banking entity in the U.S). We were one of several
associates asked to help advise on the future of Financial Planning and how it would
impact the brokerage and the investment industry at large. Mr. Weil was performing due
diligence for the merger of American Express and IDS (Investors Diversified Services).
We were at that time a national leader in the company in delivering Fee Based Financial
Planning Services, which was a new concept in the investment community and
mainstream investors. That concept is now widely held by most investment advisors.
In 1985/86 We were elected Vice President of the Central Pennsylvania Chapter of the
International Association of Financial Planners, and helped build that chapter by
increasing membership 3to 4 times. We had personally retained the nationally acclaimed
and nationally syndicated Financial Planner, Ms. Alexandria Armstrong of Washington
D.C.; to host a major fundraiser. More than 150 professionals attended the dinner event
that was held at the Eden Resort & Conference Center. Ms. Armstrong discussed
financial planning and how all of the professions needed to work together in order to be
most effective for their clients. We attracted a wide variety of professionals including;
brokers, lawyers, accountants, realtors, tax specialists, estate planners, bankers, and
investment advisors. Today, it has become evident that financial planning was the way
of the future. In 1986 executives approached us from Blue Ball National Bank to help
them develop a Financial Planning department within their bank.
In 1985 we developed the Easter Regional Free Agent Camp, the first Free Agent Camp
for the Professional Football industry; which was videotaped for distribution to the teams
scouting departments. Current camps were dependant on the team scouts to travel from
state to state looking for recruits. We had developed a strategy of video taping the camp
and the distributing a copy, free of charge to the teams, to all of the scouting
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departments for teams in all three leagues FL, CFL and WFL. My brother was signed at
that camp by the Ottawa Roughriders of the CFL, and went on to be a leading receiver
while J.C. Watts was one of the leagues most prominent quarterbacks. My brother also
played 2 years with the Miami Dolphins while Dan Marino was starting quarterback. We
were a Certified Agent for the National Football League Players Association. Gene
Upshaw, the President of the NFLPA had given me some helpful hints for my camp,
while we were at a Conference for agents of the NFL. The Washington Post wrote a fullpage
article about our camp and associated it with other camps that were questionable
about their practices. Actually, that was the very reason for our camp. We had attended
many other camps around the country that were not very well organized and attracted
few if any scouts. We had about 60 participants, with one player coming from as far
away as Hawaii. We held the camp at Lancaster Catholic, with a professional production
company filming the entire camp, while I did the editing and produced the video. The
well respected and widely acclaimed professional football scout, Gil Brandt, of the Dallas
Cowboys, had given me support for my camp during some conversations We had with
him and said he looked forward to reviewing the tapes for any hopeful recruits. * In 1986
We had founded Financial Management Group, Ltd (FMG); a large financial services
organization comprised of a variety of professionals operating in one location. We had
developed a stock purchase program for where everyone had the opportunity for equity
ownership in the new firm. FMG had financial planners, investment managers,
accountants, attorneys, realtors, liability insurance services, tax preparers, and estate
planners operating out of our corporate headquarters in Lancaster. In one year, we had
24 people on staff, had approximately 12 offices in Pennsylvania, and several satellite
offices in other states. We had in excess of $50 million under management, and our
advisors were generating almost $4 million of commissions, which did not include the
fees from the other professionals. We had acquired our own Broker Dealer firm and
were valued at about $3 to $4 million.
In 1987 We had a created and developed FMG Mortgage Banking, a company that was
funded by a major banking firm in Houston Texas. We had the capability to finance
projects from $3 to $100 million dollars. Our terms and rates were so attractive that we
had quickly received solicitations from developers across the country. We were also very
attractive to companies that wanted to raise capital that include both debt and equity.
Through my company, FMG, we could raise equity funding through private placements,
and debt funding through FMG Mortgage Banking. We had secured refinancing
packages for Norris Boyd of and the Olde Hickory and were in the midst of replacing the
current loan that was with Commonwealth National Bank. We had meetings and
discussions with Drew Anton of the Eden Resort, for refinancing a portion of his debt
portfolio. We also had a number of other prominent local developers seeking our
competitive funding, including Owen Kugal, High Industries, and the Marty Sponougle a
partner of The Fisher Group (owner of the Rt. 30 Outlets). We were constantly told that
our financing packages were more completive than local institutions.
In 1987 Power Station Studios of New York retained me as executive producer of a
motion picture project. The theatrical and video release was to be delivered in a digital
format; the first of its kind. We had originated the marketing for the technology, and
created the concept for the Power Station Digital Movie System (PSDMS), which would
follow the copyright and marketing formula of the DOLBY technology trademark. We had
also created and developed marketing and patent research for the development and
commercialization of equipment that we intended to manufacture and market to the
recording industry featuring the digital technology. Sidel,Gonda, Goldhammer, and
Abbot, P.C. of Philadelphia was the lead patent law firm that We had retained for the
project. Power Station Studios was the brainchild of Tony Bongiovi, a leading
engineering genius discovered by Motown when he was 15. Tony and Power Station
Studios was one of the leading recording studios in the country, and were responsible
for developing Bon Jovi, a cousin. Power Station Studios clients included; Bruce
Springsteen, Diana Ross, Cyndi Lauper, Talking Heads, Madonna, The Ramones, Steve
Winwood, and many others. Tony and Power Station Studios had produced the original
Sound Track for the original Star Wars motion picture. It was released for distribution
and was the number one Sound Track recording of its time. Tony Bongiovi was also
active in working and researching different aerospace technologies. * We had developed
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and authored a Joint Venture Proposal for SONY to partner with us in delivering the
Digital Movie and its related technologies to the marketplace. The venture was to
include the commercialization of technologies, which Tony Bongiovi had developed for
the recording industry simultaneously with the release of the Digital Movie. I also created
the concept for the PSDMS trademark, which was to be the Trademark logo for the
technology, similar to the DOLBY sound systems trademark. The acronyms stand for
the Power Station Digital Movie System. Today, DVD is the mainstay for delivering
digital movies on a portable medium, a compact disc.
? 1988 To 1998
In 1989 We had founded Advanced Media Group, Ltd., and was one of only 5 or 6 U.S.
domestic companies that had the capability to manufacture CD-ROM's. We did business
with commercial companies, government agencies, educational institutions, and foreign
companies. I performed services and contracts for the Department of Defense, NASA,
National Institution of Standards & Technology (NIST), Department of Defense, The
Defense Advanced Research Projects Agency (DARPA), and the Defense Mapping
Agency, Central Intelligence Agency, (CIA), IBM, Microsoft, AMP, Commodore
Computers, American Bankers Bond Buyers, and a host of others. I also was working
with R.R, Donnelly's Geo Systems, which was developing various interactive mapping
technologies, which is now a major asset of Map Quest. Map Quest is the premier
provider of mapping software and applications for the internet and is often used in
delivering maps and directions for Fortune 500 companies. We had arranged for High
Industries to sell American Helix, the manufacturer of compact discs, to R.R. Donnelly.
We had brokered a deal and the executives from Donnellys Chicago headquarters flew
to Lancaster to discuss the deal and perform due diligence of the manufacturing facility
located in the Greenfield Industrial Park.
?1990 - 1991
We had worked on developing voice recognition systems for the governments
technology think tank - NIST (National Institute for Standards & Technology). I coauthored
the article Escaping
the Unix Tar Pit with a scientist from NIST that was published in the magazine DISC,
then one of the leading publications for the CD-ROM industry. Today, most all call
centers deploy that technology whenever you call an 800 number, and voice recognition
is prevalent in all types of
applications involving telecommunications.
In 1991 We were elected to People to People International and the Citizen Ambassador
Program, which was founded by President Dwight D. Eisenhower in 1956. The program
was founded to To give specialists from throughout the world greater opportunities to
work together and effectively communicate with peers, The Citizen Ambassador
program administers face-to-face scientific, technical, and professional exchanges
throughout the world. In 1961, under President John F. Kennedy, the State Department
established a non-profit private foundation to administer the program. We were
scheduled to tour the ***iet Union and Eastern Europe to discuss printing and publishing
technologies with scientists and technicians
around the world.
?1993
We were retained by Pflumm Contractors, Inc., as controller, and was responsible for
saving the company from a potential bankruptcy. At that time, due to several unpaid
contracts, the company was facing extreme pressure from lenders and the bonding
insurance company. We were responsible for implementing computerized accounting,
accounting and contract policies and procedures, human resource policies and
procedures, marketing strategies, performance measurement reporting, and negotiate
for the payment of unpaid contracts. The bonding company was especially problematic,
since it was the lifeline to continue work and bidding for public contracts. The Bank of
Lancaster County demanded a complete accounting of the operations in order to stave
off a default on the notes and loans it was holding. We essentially revamped the entire
operation. Within 3 years, the company realized an increase in profits of 3 to 4 times its
previous years, and record revenues.

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3:00 AM - 3:30 AM

Comcast & Internet Shutt Off

Digital Cable went down.


9:00 AM - 9:30 AM

Hearing Majistrict Dist Hamilton 872-4361 -- 324 Beaver Valley Pike,Willow Street,PA 17584

COMMONWEALTH OF PENNSYLVANIA NOTICE OF CONTINUANCE


COUNTY OF LANCASTER
Mag Dist NO.
02-2-06 COMMONWEALTH OF PENNSYLVANIA
M W Name Hon
LEO H. ECKERT, JR
AddresS 841 STEHMAN ROAD
MILLERSVILLE,PA
VS.
DEFENDANT NAME and ADDRESS
Telephone (717 ) 872-4361 17551-9753
STANELY, J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
Date Flled: 4/12/06
Please note that the hearing in the above captioned case, which was scheduled to occur on:
5/15/06
has been continued to:
If you have any questions, please contact this office immediaiely.
Date: 6/22/06
Time: 9:OO AM
Continuance requested by: MAGISGERIAL DISTRICT JUDGE
Place: DISTRICT COURT 02-3-03
324 BEAVER VALLEY PIKE
WILLOW STREET, PA 17584
If you are disabled and require assistance, please contact the Magisterial District office at the
address above.
I
COMPLAINT NUMBER: 060455C DATE PRINTED: 5/12/06 1:36:28 PM
DATE COMPLAINT SIGNED: 0/00/00

9:30 AM - 11:30 AM
11:30 AM - 12:00 PM

Travel to Reading Bankruptcy Court to file brief -- Reading,PA


Joe Pinto Clipper Stadim -- Clipper Stadium

Stop to see Joe about concert sales. Said "Bad" could not give number.
Rodie for Dwight Yocum was an arrogant sob
Guy from All access was telling me about previous shows, about 3000 average
12:30 PM - 12:30 PM

Public Defender Office -- King Street

Come back after lunch


3:00 PM - 4:30 PM

Matt Bomberger - Public Defender Office

Wanted me to go over Busser case, would not, wanted to go over East Lampeter 1st
Never said anything about waiver till I mentioned it, did not expect to go over cases
Attitude towards Fed suits, other person in office kept heckling me, asked who he was Steve
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Greenalay???
Went over statement gave reicept for D&S
Would not tell me if he was my public defender, said he didn't know
Wanted me to go over Busser case, said I was tired, later date, would not agree to meet later
or schedule a meeting to discuss, kept wanting me to go over it then
5:00 PM - 5:30 PM

Chapter 11 Brief and Order Due

Hearing Date: June 29,2006


Time: ll:00 a.m.
Location: Courtroom #I, Reading, PA
IN THE UNITED STATES BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
IN RE: CHAPTER 11
STANLEY J. CATERBONE, BANKR. NO. 05-23059REF
Debtor.
UNITED STATES TRUSTEE'S MOTION TO DISMISS
OR CONVERT TO C M E R 7
The United States trustee for Region 3, in furtherance of the administrative
responsibilities imposed pursuant to 28 U.S.C. Section 586(a), hereby moves, pursuant to
1 1 U.S.C. 5 11 12(b), for the entry of an order dismissing this case, or converting this case to
one
under Chapter 7. In support of her motion, the United States trustee represents as follows:
1. The Debtor commenced this case on May 23,2005, by filing a volunta~y
petition under Chapter 11 of the United States Bankruptcy Code.
2. The Debtor's case has now been pending before this Court under Chapter
11 for over one year and the Debtor has failed to file and/or obtain approval of a disclosure
statement andlor confirmation of a plan of reorganization.
3. The Debtor has also failed to remain current with the filing of the monthl:
operatingtincome and expense reports required pursuant to the U. S. trustee Operating
Guideline
and LBR 201 5.1. To date, reports for the months of February through April, 2006, are past
due.
Further, the report for the month of May will be due prior to the hearing on the present Motion.
4. Upon information and belief, the Debtor has also failed to remain current
with the payment of his post-petition obligations including, but not necessarily limited to the
payment of statutory fees pursuant to 28 U.S.C. 5 1930(a)(6). The U. S. Trustee is unable to
determine the exact amount due and owing given the Debtor's failure to file the required
reports
as set forth above.
5. The Debtor's failure and apparent inability to obtain confirmation of any
plan of reorganization, and his apparent inability to remain current with his post-petition
obligations may evidence a continuing loss to or diminution of the Debtor's estate, the
absencc of
a reasonable likelihood of rehabilitation, and the Debtor's inability to effectuate a plan of
reorganization, and may constitute unreasonable delay by the Debtor which is prejudicial to
creditors, all of which are grounds for conversion or dismissal of this case pursuant to 11
U.S.C.
9 11 12(b).
For the reasons set forth above, among others, the U. S. trustee respectfully
requests that the Court conduct a hearing on the above issues and dismiss this case, or
convert it
to Chapter 7. If the case is dismissed and any quarterly fees remain due and owing at the
time of
the hearing on this matter, the U. S. trustee requests that the Court enter a judgment order
against
the Debtor and in favor of the United States trustee in the amount of all accrued fees owed
pursuant to 28 U.S.C. 4 1930(a)(6) as of the hearing date. The U. S. trustee specifically
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reserves the right to supplement her motion at or prior to the hearing thereon.
DATED this day of May, 2006.
KELLY BEAUDIN STAPLETON
United States Trustee
By: /s/ Dave P. Adams
Dave P. Adams
833 Chestnut Street, Suite 500
Philadelphia, Pennsylvania 19107
(215) 597-441 1
(21 5) 597-5795 (fax)
IN I'HE UNITED STATES BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
IN RE:
STANLEY J. CATERBONE,
Debtor.
CHAPTER 11
BANKR. NO. 05-23059REF
ORDER CONVERTING CASE
AND NOW, this - day of June, 2006, upon consideration of the U. S. trustee's
Motion to Convert to Chapter 7, and the Debtor's response, if any, it is now, therefore,
ORDERED, ADJUDGED and DECREED as follows:
1. The U. S. trustee's Motion to convcrt this case to Chapter 7 is GRANTED
and this case is hereby converted to Chapter 7.
IT IS FURTHER ORDERED as follows:
2. Within thirty days of the date of this Order, or on or before the meeting of
creditors scheduled in the converted Chapter 7 case, the Debtor shall file a schedule of
current
income, current expenditures, ail monthly operating reports and the stalcment of intentions,
of
applicable, required by 11 U.S.C. 5 521(1), (2).
3. The Debtor shall file all applicable statements, schcdules and reports in a
timely manner pursuant to FRBP 1019.
FURTHER, professionals employed by the Debtor are hereby directed to file an
application for compensation within thirty days of the entry of this Order for outstanding fees
and
expenses incurrcd during the Chapter 11 administration or, alternatively, turn over prepetition
retainers for which Court allowance has not been obtained, if applicable, to the appointed
Chapter 7 trustee.
Honorable Richard E. Fehling
United States Bankruptcy Judge
IN THE UNITED STATES BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
IN RE:
STANLEY J. CATERBONE,
CHAPTER 1 1
BANKR. NO. 05-23059REF
Debtor.
JUDGMENT AGAINST DEBTOR
AND ORDER DISMISSING CASE
AND NOW, this - day of June, 2006, upon consideration of the U. S. trustee's
Motion to Dismiss, and her request for entry of a judgment against the Debtor for all unpaid
fees
pursuant to 28 U.S.C. 1930(a)(6), and the Debtor's response, if any, it is now, therefore,
ORDERED, ADJUDGED and DECREED as follows:
Judgment in accordance with FRBP 9021 is hereby entered in favor of the United
,States trustee agai$nst the Debtor in the principal sum of being the actual
or minimum amount of the accrued but unpaid fees to the United States trustee pursuant to
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28
U.S.C. 9 1930(a)(6), as amended;
IT IS FURTHER ORDERED that the U. S. trustee's Motion to Dismiss is
GRANTED and this case is hereby DISMISSED.
The Court shall retain jurisdiction to the extent necessary to enforce the terms of
this order upon the filing of an appropriate motion pursuant to 11 U.S.C. 9 350(b).
Honorable Richard E. Fehling
United States Bankruptcy Judge
IN THE UNITED STATES BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF PENNSnVANIA
IN RE:
STANLEY J. CATERBONE,
Debtor.
CHAPTER I I
BANKR. NO. 05-23059REF
CERTIFICATE OF SERVICE
It is certified that on the 30th day of May, 2006, the United States trustee's Motion
to Dismiss or Convert to Chapter 7 was caused to be sewed electronically andlor by placing
copies thereof in the United StaY s Mail, postage prepaid, addressed as follows:
Stanley J Caterbone
220 Stone Hill Koad
Conestoga, Pennsylvania 175 16
By: /s/Nancv J. MiNer
Nancy J. Miller
Legal Clerk
ve Database Area
File a Motion:
05-23059-ref Stanley J. Caterbone
Type: bk Chapter: 1 l v
Assets: y Judge: ref
Office: 4 Weading)
Case Flag: APPEAL, FeeDue
U.S. Bankruptcy Court
Eastern District of Pennsylvania
Notice of Electronic Filing
The following transaction was received from ADAMS, DAVE P. entered on 513012006 at 2:50
I'M EST
and filed on 513012006
Case Name: Stanley J. Caterbone
Case Number: 05-23059-ref
Document Number:@
Docket Text:
Motion to Convert Case to Chapter 7 . Fee Amount $15.00, Motion to Dismiss Case Filed by
United
States Trustee Represented by DAVE P. ADAMS (Counsel). (Attachments: # (1) Proposed
Order # (2)
Proposed Order) (ADAMS, DAVE)
The following document(s) are associated with this transaction:
Document descripti0n:Main Document
Original filename:P:\Secretarial\Adams\Chapter 1 1\2006\caterbone\motion.pdf
Electronic document Stamp:
[STAMP bkecBtamp-ID=1008166204 [Date=5/3012006] [FileNumbe1=7807155-0
] [aee69d964470970370eca878fe3334cOeedD07c304223aa319dadfc912ad9e1fO2
42efOc2 124b66a6c70424 19873fbf936cOfa88 189ddSbc7690 1 bfdfb3aSbfjl
Document description:Proposed Order
Original filename:P:\Secretarial\Adams\Chapter 1 1\2006\caterbone\order 1 .pdf
Electronic document Stamp:
[STAMP bkecfStamp-ID=1008 166204 [Date=5/30/2006] [FileNumber-7807155-1
] [9dbd3a2092e240al73054d7b5c9291e84a8640f870b326bb9ed707974b2cl5122cd
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3e72692af2d359dfS396c389d47fa487165dl21356ca2bb2a97f97480ab70]]
Document description:Proposed Order
Original filename:P:\Secretarial\Adarns\Chapter 1 1\2006\caterbone\order 2.pdf
Electronic document Stamp:
[STAMP bkecfStamp-lD=1008166204 [Date=5/30/2006] [FileNumber=7807155-2
] [9ae58cce6ea64652e9cae6138a05daceadcf91ec246a965e129abc8eafdeae0975b
ee5693089c111571c7cl6407240770350abc5573554d1 I 12aSa34899854~9J1
05-23059-ref Notice will be electronically mailed to:
DAVE P. ADAMS dave.p.adams@usdoj.gov
SHAWN M. LONG slong@barley.com,
jrachor@barley.com;cbrelje@barley.com;de~s@barley.com
United States Trustee USTPRegion03.PH.ECF@usdoj.gov
05-23059-ref Notice will not be electronically mailed to:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 175 16
~ve a hb base Area
File a Notice:
05-23059-ref Stanlev J. Caterbone
U.S. Bankruptcy Court
Eastern District of Pennsylvania
Notice of Electronic Filing
The following transaction was received from ADAMS, DAVE P. entered on 513012006 at 2:51
PM EST
and filed on 5/30/2006
Case Name: Stanley J. Caterbone
Case Number: 05-23059-ref
Document Number: 61
Docket Text:
Notice of Motion to Convert Case to Chapter 7, Motion to Dismiss Case[60] Filed by United
States
Trustee. Hearing scheduled for 6/29/2006 at 11:OO AM at mad - Courtroom 1, Third Floor.
(ADAMS,
DAVE)
The following document(s) are associated with this transaction:
Document description:Main Document
Original filename:P:\SecretarialL4dams\Chapter 1 1\2006\caterbone\notice.pdf
Electronic document Stamp:
[STAMP bkecfStamp-ID=l008166204 [Date=5/30/2006] [FileNumber=7807168-0
] [13663b2ad8c6855edfc3ac25d06dl231bf960479ea01d48B39ba9a4dl05f265980
7346d022af6956f9b7f4fLafb654ae607a354dd288506d02cdccl 935a18211
05-23059-ref Notice will be electronically mailed to:
DAVE P. ADAMS dave.p.adams@usdoj.gov
SHAWN M. LONG slong@barley.com,
jrachor@barley.corn;cbrelje@barley.corn;dennis@barley.com
United States Trustee USTPRegion03.PH.ECF@usdoj.gov
05-23059-ref Notice will not be electronically mailed to:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 175 16
~e at abase Area
Miscellaneous:
05-23059-ref Stanley J. Caterbone
U.S. Bankruptcy Court
Eastern District of Pennsylvania
Notice of Electronic Filing
The following transaction was received from ADAMS, DAVE P. entered on 5/30/2006 at 2:52
PM EST
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and filed on 5/30/2006
Case Name: Stanley J. Caterbone
Case Number: 05-23059-ref
Document Number: 62
Docket Text:
Certificate of Service of Motion to Convert/Dismiss andNotice Filed by DAVE P. ADAMS
on behalf of
United States Trustee (related document(s)[61], [60]). (ADAMS, DAVE)
The following docurnent(s) are associated with this transaction:
Document description:Main Document
Original filename:P:\Secretarial\Adams\Chapter1 1 \2006\caterbone\cert.pdf
Electronic document Stamp:
[STAMP bkecfStamp-ID=1008166204 [Date=5/30/2006] [FileNumber=7807175-0
] [7dfd5bbd6674f692104d19e92d7e722ad3d14f4B~4Oeeb4Bl4a5232fc~O5Sl
796d9b428448b9b7eddb2~45lf c24a2485Oed84a45dOf021dc93 18fe5a5ecIl
05-23059-ref Notice will be electronically mailed to:
DAVE P. ADAMS dave.p.adams@usdoj.gov
SHAWN M. LONG slong@barley.com,
jracho@barley.com;cbrelje@barley.com;dennis@batley.com
United States Trustee USTF'Region03.PH.ECF@usdoj.gov
05-23059-ref Notice will not be electronically mailed to:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516

6:00 PM - 9:00 PM
8:30 PM - 9:00 PM

Clint Black/Dwight Yoakam Concert at Clipper Magazine Stadium! -- Clipper Stadium


Yokum/Black Concert

Estimate crowd at about 7,000, 10% of seats vacant, infield 80% full, boxes looked 70%
Joe said only about 5,000.
11:30 PM - 12:00 AM

State police Found security breach in bedroom -

June 23, 2006


Friday
1:30 AM - 2:30 AM

Southern Regional & West Lampeter -- 220 Stone Hill Road

Call State Police for special services for finger print of window bar
2:30 AM - 3:00 AM

Comcast - Susan Gibson -- S. Duke Street

Said she would send repairman to fix. Said she did nothing with account, and told repair dept
to connect "Today"
Gave me Mabel Cob address for subpoena
Received call later, said it was a glitch in system.
6:00 PM - 6:30 PM

Dave Matthews Band and O.A.R. -- HERSHEYPARK Stadium

Dave Matthews Band and O.A.R.


Type of Event: Concert
Show
Entertainment
Venue: HERSHEYPARK Stadium
Hershey
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Event Date(s): 6/23/06
Event Time(s): 7:00 PM
On-Sale Date: 4/8/06
On-Sale Time: 10:00 AM
Admission:
$56.50 reserved field - 2 Ticket Limit
$40.75 general admission field and reserved grandstands - 6 Ticket Limit
Processing fee applies
Parking fee applicable
Event Details: Highlights on this years trek through the States include the bands second
stand at New York Citys Randalls Island, their annual three-night appearance at the Gorge
Amphitheatre outside of Seattle, and the bands first-ever performance at Hollywoods famed
Hollywood Bowl.
Last year, DMB spearheaded a fundraising effort highlighted by a special appearance at
Denvers famed Red Rocks, where they raised more than $1.5 million for victims of Hurricane
Katrina.
O.A.R.s brand new Everfine/Lava/Atlantic album, Stories of a Stranger, sold more than
28,000 units in its first week of release, placing them firmly in the Top 40 on the Billboard 200
album chart. Strong modern rock radio airplay, several television appearances and relentless
touring have made this Rockville, Maryland-based rock band a huge success throughout
America.
For more information, please contact John Vlautin at SpinLab at 323-465-3700, via e-mail at
jv@spinlab.net or online at www.davematthewsband.com
Tickets are available at GIANT Center Box Office, charge by phone at 717-534-3911 or
717-260-2000, all TICKEMASTER locations, ticketmaster.com, or CC. COM. All show dates,
on sale dates, support artists and ticket prices are subject to change without notice.
For this concert, the wristband policy will be in effect. Fans are permitted on HERSHEYPARK
property beginning at 7 a.m. on Saturday, April 8. Two hours prior to the on-sale, fans are
directed in front of GIANT Center Box Office, where they are issued a numbered wristband.
Wristbands are available for one hour, and at the conclusion of that hour, a selected fan will
randomly select a wristband that will determine the line order. For example: if 1,000
wristbands are issued during that hour and the number 500 is selected, the person wearing
wristband 500 will be the first person in line. Numbers 501 to 1,000 will proceed in line behind
followed by numbers 1-499. Once the line is in place, everyone arriving after the wristbands
were issued will be escorted to the end of the numbered line.
Doors open 60-90 minutes prior to show. Times subject to change.
Note: Cameras are not permitted. Audio and video recorders, movie cameras and press
cameras are never permitted except by special permission of the artists management.
HERSHEYPARK Deal: Ride the day away at HERSHEYPARK before you rock and roll all
night! HERSHEYPARK offers a special discounted admission price of just $25.95 to concert
go-ers when purchasing and using a Park ticket on the day of the concert! Just present your
concert ticket at the HERSHEYPARK Front Gate the day of the concert to receive the
discount.
ALL INFORMATION SUBJECT TO CHANGE WITHOUT NOTICE.
Phone: Call 717-534-3911 for more details.

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Saturday
All Day

PA Civil Rights Complaint Form Work in Progress

Civil Rights Enforcement


15th Floor, Strawberry Square
Harrisburg, PA 17120
(717) 787-0822
Fax: (717) 787-1190

2. IF EMPLOYMENT RELATED, WHOM IN MANAGEMENT HAVE YOU INFORMED OF


YOUR COMPLAINT?
WHAT ACTION WAS TAKEN?
3. DO YOU KNOW OF ANY OTHER INDIVIDUAL(S) WHO HAVE BEEN TREATED THE
SAME OR RECEIVED SIMILAR TREATMENT? No
WHAT HAPPENED TO THESE INDIVIDUALS?
4. DO YOU HAVE ANY WITNESSES TO VERIFY OR CONFIRM YOUR COMPLAINT? Yes
5. DID YOU SUFFER ANY MONETARY LOSS OR LOSS OF BENEFITS? PLEASE
EXPLAIN. Yes
6. PROVIDE THE DATE(S) OF INCIDENT(S):
July 2, 1987 - In an effort to continue all efforts and business activities, Stan Caterbone visits
the Office Works, owned and operated by High Industries, to purchase a printer while staying
in Stone Harbor. FMG, Ltd., had an open account, which Stan Caterbone authorized, as an
officer of FMG, Ltd.,. The Office Works demands cash payment and refuses to put the
purchase on credit.
July 6, 1987 - In an effort to document the conspiracy theory, Stan Caterbone requests Tom
Caterbone to call Robert Kauffman to inquire about the status of his affairs, and to tape the
conversation. Tom Caterbone identifies himself as John Green, a client of Stan Caterbone's
and Robert Kauffman states the following: "Stan Caterbone has moved his office to Stone
Harbor, NJ.. he is not taking care of business, and I need to see to it that his clients are taken
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care of for the time being.. he has been spending a lot of money, an airplane, a place at the
shore, and he seems to think that he is too important for his traditional clientele.. There is
some history of mental disorders in his family history.. I can't come right out and say that that
is what's going on, .. I wish Stan would get some professional help.. However for the time
being, Stan is not taking care of business, and I need to be concerned for his clients.
July 6, 1987 - Stan Caterbone telephones Dr. Al Schulz, psychiatrist at St. Joseph Hospital,
and client of Stan Caterbone's in order to thwart the allegations of insanity. Dr. Al Shulz had
disclosed that several persons, including Mary Lynn Dipaolo and Jere Sullivan had called him
concerning Stan Caterbone's behavior and activities. From the allegations, Dr. Shulz advised
that Stan Caterbone was suffering from illusions of grandeur, and prescribed Lithium
treatment, and to return to Lancaster for consultation. Stan Caterbone insisted that the
allegations were purely fabricated, and that no one had any legal right to interfere with his
business and or legal affairs, let alone his confidential medical records.
July 6, 1987 - Stan Caterbone contacts David Drubner, of Boston, Ma, a friend of Stan
Caterbone's brothers Mike, and an attorney. During the conversation, David Drubner
questions Stan Caterbone about "taking some medication", and supports the allegations of
insanity.
July 6, 1987 - In the following days, Stan Caterbone had made numerous telephone calls to
local, state, and federal authorities, for intervention and help regarding all of the preceding
events and circumstances. The following is a brief description of each: Manheim Township
Police Department, responded "what bank branch repossessed your aircraft"; Pennsylvania
State Senator Gib Armstrong, responded, "I will call the Pa Attorney General's Office and
have them call you; the Federal Bureau of Investigation (FBI), the Philadelphia-based field
office; U.S. Representative Robert Walker (RPa), a detailed and explicit conversation with
Mrs. Robert Walker, who would only advise Stan Caterbone to put his situation in writing and
submit it to the Congressman in his Washington, D. C. office. In addition: David Wouls
(Executive Vice President of the Lancaster chamber of Commerce & Industry), Stan
Caterbone talked at length, and in detail, making allegations of misconduct with members of
the same; National Association of securities Dealers (NASD), in Washington, D.C., Stan
Caterbone discussed the securities related violations. And also: the Securities & Exchange
Commission (SEC), also in Washington, D.C., and discussed securities laws violations; the
Pennsylvania Securities Commission, of Harrisburg, Pa, discussed the implications of Stan
Caterbone's illegal lockout, and his legal and formal positions, including incorporating officer
of FMG, Ltd., Stan Caterbone received no support or follow-up communications concerning
all of the above requests, despite his apparent emotional duress, and extreme situation.
July 8, 1987 - A formal notification of the termination of Stan Caterbone's Registered
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Representative Securities license with the Planners Securities Group Inc., of Atlanta, GA is
received, with a "cc: Robert Kauffman".
July 8, 1987 - Stan Caterbone's brothers, Steve, Phil, Mike, and Tom, arrive unexpectedly
and uninvited at the residence of Stan Caterbone's in Stone Harbor, NJ, and refuse to leave
until Stan Caterbone agrees to take Lithium and return to Lancaster to undergo treatment by
Dr. Al Schulz, for mental illness.
July 16, 1987 - Stan Caterbone travels to New York, from Boston, MA, to visit with Bob
Walters of Power Station Studios, to discuss the allegations of Blackmail, and to find out who
is involved, including Scott Robertson and Power Station Studios. Stan Caterbone discusses
the illegal repossession and other related matters, however during the conversation, becomes
suspicious when Bob Walters and Tony Bongiovi disclose that the "Digital" Movie project is
suddenly suspended until a later time.
July 17, 1987 - Stan Caterbone travels to Hollywood, California to meet and visit with Ted
Gamillion and Gamillion Studios (Film Studio), and Marcia Silen of Flatbush Films. Ted
Gamillion had previously solicited the consulting of Stan Caterbone in order to help
reorganize the financing of the film studio, after earlier arrangements in North Carolina had
gone sour. Stan Caterbone had spent several days visiting and touring the studio. Ted
Gamillion agreed to allow Stan Caterbone to represent the studio in order to secure the
required financing. Ted Gamillion provided Stan Caterbone with substantial amounts of
confidential financial, legal, and tax documents for the project. During the visit, Marcia Silen
had disclosed to Stan Caterbone that Scott Robertson had made allegations of insanity about
him (Stan Caterbone) to persons at Power Station Studios and at Flatbush Films.
July 24, 1987 - Michael M. Hartlett sends a letter to all creditors of FMG, Ltd., informing them
that stated the following: Stan Caterbone is no longer an officer of the corporation; he was
removed from office on July 1, 1987; he had been purchasing items under FMG, Ltd., and
obtaining corporate discount and rates; and formally notifying
them that Stan Caterbone had never had the right to purchase items through FMG, Ltd., or
make corporate
commitments on behalf of FMG, Ltd., or contract or in any way obligate FMG, Ltd.,.
July 30, 1987 - Stan Caterbone had paid $600 to Dr. Levine, a Psychiatrist from North field,
New Jersey, for an objective evaluation of his mental state of mind, in order to prove the
fabricated allegations of 'insanity". Dr. Levine had conducted a 2 hour meeting in his
residence in Stone Harbor, NJ, and required Stan Caterbone complete the Minneapolis
Multiphase Personality Inventory (MMPI). Stan Caterbone completed the test, immediately
returned it to Dr. Levine. After several weeks without any communications from Dr. Levine,
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Stan Caterbone had called for the results. Dr. Levine had explained that he had conducted
telephone interviews with members of Stan Caterbone's without notice or consent, in addition
to the original request of Stan Caterbone to conduct an objective and confidential
examination. In addition, Dr. Levine prescribed Lithium drug therapy, and disclosed a
diagnosis of Bi-Polar Mood Disorder.
August 6, 1987 - The legal firm of Appel, Yost & Sorentino, of Lancaster, Pa., send a formal
notice to Stan Caterbone, demanding the return of a facsimile machine leased from the ACM
company of Lancaster, Pa. Attorney Appel advises Stan Caterbone that it is the property of
FMG, Ltd., and should be returned at once or legal action will follow.
August 8, 1987 - John M. Wolf, Executive Vice President of Commonwealth National Bank
sends Stan Caterbone a formal letter advising that the repossession of July 2, 1987 was both
lawful and appropriate, and declines to accept a settlement of $5 million for lender liability
violations.
August 10, 1987 - Stan Caterbone receives a facsimile from the Board of Directors of FMG,
Ltd., signed by Robert Long threatening to file criminal charges for "embezzlement (we have
checks to prove it), burglary, employee theft, corporate opportunity and slander against our
firm".
August 12, 1987 - Yolanda Caterbone, mother of Stan Caterbone, Steve, Phil, Mike, and Tom
Caterbone, all brothers, arrive unexpectedly and uninvited to the residence of Stan Caterbone
in Stone Harbor. After several requests for the visitors to leave the premises are denied,
several brothers refuse to let Stan Caterbone leave the premises. Stan Caterbone flees, and
the brothers chase after him. Stan Caterbone runs into a neighbors house to ask to use the
telephone to phone the police. However, after realizing that he is scaring the occupants, he
flees to the Stone Harbor Police Department, a few blocks away, in an effort to obtain a
restraining order and to lawfully have the unwanted persons vacate his residence and
personal property. Officer Steve Conners and Officer Henry Stanford refuse the request, and
hold Stan Caterbone in custody. After some 30 minutes, the officers, accompanied by Steve
and Tom Caterbone, place Stan Caterbone into a Police Cruiser and proceed to the Burdette
Tomlin Hospital, in Stone Harbor. Upon arriving, Stan Caterbone is interrogated and
questioned extensively about a "gun". A hospital staffer then accuses Stan Caterbone of an
attempted suicide and keeps him in custody for 4 or more hours. Another hospital staffer
performs an extensive mental health evaluation. Stan Caterbone is given an ultimatum of
signing a contract in order to be released form the hospital, the contract stated: "I Stanley J.
Caterbone will not take my life tonight or at anytime".
August 14, 1987 - The same family members again arrive unwanted at the residence of Stan
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Caterbone in Stone Harbor, NJ. After another confrontation, similar to the incident of two
evenings before, Stan Caterbone fleas to the Avalon Police Department for another attempt
to get a restraining order. However, en route, just a few blocks from the Avalon Police
Station, an Avalon Police cruiser pulls Stan Caterbone over and arrests him for the following
violations:
1. Driving Beyond the speed limit.
2. Driving an unregistered vehicle (all required registration materials were in
Lancaster, PA)
3. Containing an empty beer can in his vehicle (which was at .1 east three days old)
In addition, the Avalon Police Department repossessed his car and locked it in the Avalon
Police Department
Compound, which was his only means of transportation and communication by car phone.
August 24, 1987 - Robert Kauffman sends a letter to Millard Johnson, Stan Caterbone's
client, regarding his previous intentions of paying the $25,000 demand note of Stan
Caterbone to Millard Johnson. Robert Kauffman had previously promised to pay the debt to
Millard Johnson during a meeting. Robert Kauffman, told Millard Johnson to contact the FMG,
LTD., attorney, Craig Russell in order to file legal claim, and formally disclosed that he would:
no longer handle any discussions concerning Stanley J. Caterbone. In the last paragraph,
Robert Kauffman discloses that "attorney Mr. Patterson, no longer represents the Caterbone
family regarding his pending bankruptcy or guardianship". Notes: Stan Caterbone never gave
any legal jurisdiction or rights to any family member, has never filed for bankruptcy, was not
bankrupt, or even knew of an attorney named Mr. Patterson.
September 3, 1987 - Robert Kauffman calls detective Larry Sigler or the Manheim Township
Police Department to report an alleged Terroristic threat made two days prior, on September
1, 1987, by Stan Caterbone between the hours of 9:00 and 1 pm noontime. Detective Larry
Sigler issues a warrant for the arrest of Stan Caterbone with District Justice Murray Horton
that was issued at about the same time as the arrival of Stan Caterbone at Romar Aviation.
At approximately 3:00 pm Mary Lynn Dipaolo picks Stan Caterbone up at Romar Aviation for
a scheduled visit and dinner. After Stan Caterbone becomes annoyed at Mary Lynn Dipaolo's
unjustified allegations, Stan Caterbone borrows her car to go home to his residence in
Conestoga and to go play basketball. At approximately 7:00 pm, upon leaving the
playground, he is approached by Nancy Arment, FMG, Ltd., secretary, who is elaborated and
crying, asking "why are you doing this?". At approximately 9:00 pm, in an attempt to recover
additional stolen personal and business tiles, Stan Caterbone proceeds to the offices of FMG,
Ltd., where he is greeted by employee Stacy Waters and allowed to enter the building. Stan
Caterbone insists that Stacy Walters accompany him throughout the building as he recovers
files in the offices of Robert Kauffman, Michael Bartlett, and Robert Long. In addition
retrieving a Back-Up (FMG, Ltd, records and communications) copy of the computer system
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which he integrated. Upon leaving, Stan Caterbone temporarily disconnect the systems which
he had integrated and developed for FMG, Ltd., which fall under intellectual property rights.
Stacy Walters assists Stan Caterbone in loading the tiles in his automobile, and Stan
Caterbone kisses Stacy Walters goodbye, and awaits for her safe return to the building until
leaving. Upon entering his residence later that night, Stan Caterbone is taken into custody by
the Conestoga Police, and requests that the files that he had taken out of the offices of FMG,
Ltd., be taken along to prove his rights to the property, and his position within the company.
Stan Caterbone was then taken to the jurisdiction of Manheim Township Police, where he is
arrested and taken into custody.
September 4, 1987 - At approximately 2:00 am, Stan Caterbone is arraigned before District
Justice Richard R. Reeser for the following charges: Terroristic threats; burglary; unlawful
restraint; unlawful use of computers; theft by unlawful taking; robbery; and criminal mischief.
Bail is set at $20,000 and Stan Caterbone is placed in The Lancaster county prison. He was
not permitted to post real estate for bail.
September 5, 1987 - The Lancaster New Era and the Lancaster Intelligencer Journal report
the alleged crimes, reporting that Stan Caterbone is an ax-employee; that FMG, Ltd.,
sustained $60,000 because of his actions; and that he threatened 2 female employees. The
entire arrests and reports fail to acknowledge that Stan Caterbone is an individual lessee of
the property, and in accordance with law, still holds all of his offices of PING, Ltd., and is the
founder of the company. The above incident further facilitates the ongoing conspiracy, and
publicly discredits Stan Caterbone in every way, financially, professionally, and most
importantly conveniently supports the continued allegations of insanity.
September 9, 1987 - Stan Caterbone is given an ultimatum by the Lancaster county prison
authorities, Robert Bayer, Yolanda Caterbone, and Mary Lynn Dipaolo of posting the required
bail only if Stan Caterbone voluntarily admits himself into the Psychiatric Unit of St. Joseph
Hospital, or remain in the Lancaster County prison. Stan Caterbone is released from
Lancaster County prison, and immediately escorted to St. Joseph Hospital and admitted into
the Psychiatric Unit.
September 15, 1987 - Stan Caterbone questions the legality of the ultimatum for posting tail,
and upon learning that it is unlawful, arranges for his discharge - Upon his discharge, the St.
Joseph Hospital administrators learn that FMG, Ltd., had terminated his health insurance, and
demand payment of $3, 064.60 for the six days of hospitalization. Stan Caterbone is not able
to pay, and leaves the hospital and returns to his residence of Conestoga, PA.
September 15, 1987 - Stan Caterbone receives an invoice from St. Joseph Hospital for
$3,064.00.
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September 16, 1987 - Stan Caterbone receives a call from Howard Eisler, an Investigator for
the Pennsylvania Securities Commission who requests a meeting with Stan Caterbone. A
meeting is scheduled for September 29, and Stan Caterbone arranges for Robert Beyer and
Millard Johnson to attend.
September 21, 1987 -ISC and the British Ferranti firm agree in principal to merge, creating
what appeared to be a $1.5 billion defense/electronics conglomerate, after six months of
negotiations.
September 29, 1987 - Howard Eisler conducts a meeting at the Residence of Stan Caterbone,
with all parties consenting to have the meeting recorded by Stan Caterbone. Howard Eisler
was not able to provide a believable explanation of what he was investigating or why he had
contacted Stan Caterbone. Stan Caterbone explains all of the circumstances regarding his
prior meeting with ISC/Chem Con executive Larry Resch, and details his allegations of
wrongdoing of James Guerin/ISC/Chem Con6 and the discussions of that meeting on June
23, 1987, with ISC executive Larry Resch. Stan Caterbone also discloses his ISC stock
holdings, and his relationships with ISC and Chem Con associates. Millard Johnson testifies
to Howard Eisler during the meeting regarding a previous meeting in August with Robert
Kauffman, where Robert Kauffman tried to persuade Millard Johnson to fabricate a story that
a legitimate personal loan of $25,000 to Stan Caterbone in June of 1987, was instead
intended for investment and embezzled by Stan Caterbone. Robert Kauffman wanted Millard
Johnson to support this story to authorities. Stan Caterbone spent more than 4 hours
explaining and detailing all of his allegations and business activities including how he founded
and built Financial Management Group, Ltd.,; his mortgage banking activities; the illegal
repossession of his aircraft; all of the fabricated arrests; and the chronology of events after
the June 23 meeting with ISC executive Larry Resch. Howard Eisler ended the meeting and
requested copies of documents from Stan Caterbone.
October 2, 1987 - District Justice Murray Horton conducts a preliminary hearing for all
criminal charges against Stan Caterbone. Attorney Robert Beyer refuses to discuss any
issues regarding his individual lease of the FMG, Ltd., offices, or any issues resulting in the
illegal activities of anyone other than Stan Caterbone District Justice Murray Horton orders
Stan Caterbone to defend all of the criminal charges in the next term of criminal court in
Lancaster County. Stan Caterbone ordered to be bound over for the next term of criminal
court of Lancaster County.
October 18, 1987 - The Unemployment Compensation Review Board formally and officially
decides against a claim for benefits by Stan Caterbone and cites misconduct and wrongdoing
as the reasons.
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October 27, 1987 - Lancaster Aviation files a civil suit with District Justice Murray Horton for
alleged unpaid bills of some $5,000.
November 9, 1987 - Stan Caterbone visits with Parent Federal Savings and Loan's president,
John Depatto, to discuss him problems in meeting his current mortgage payments. John
Depatto immediately disclosed to Stan Caterbone that foreclosure proceedings have officially
begun, and that the full loan of approximately $110,000 is immediately due. Stan Caterbone
stands up from the conference table and declares, "You tell Mr. James Guerin he is in
trouble", and abruptly walks out of the offices.
November 23, 1987- A Referees Decision by the unemployment Compensation Review
Board upholds a recent decision to deny Stan Caterbone from collecting any benefits, again
citing misconduct and wrongdoing. Stan Caterbone calls Howard Fisler, of the Pennsylvania
Securities Commission and demands an explanation for not returning to obtain any
documents as promised in the meeting of September 29th. The phone call was recorded.
November 25, 1987 - Stan Caterbone receives a letter from the Pennsylvania Securities
Commission, Howard Zisler, citing a misunderstanding and lack of communication, and now
requests that Stan Caterbone submit a written complaint of all allegations discussed in the
meeting of September 29, 1987.
November 26, 1987 - Stan Caterbone visits the Pennsylvania State Police barracks in
Lancaster, to file a formal complaint to the White Collar Crime Division. Stan Caterbone was
treated as if he was making the entire story up, and received no help.
December 4, 1987 - Financial Management Group, Ltd., holds its first annual shareholders
meeting, for the year ended June 30, 1987, at the Treadway Resort Inn. In an effort to
promote propaganda against Stan Caterbone, and to support the fabricated allegations of
insanity, FMG, Ltd., president hired armed security personnel to guard the doorways of the
meeting, insinuating that the meeting was under a threat of violence, and to collaborate his
recent allegations of Terroristic threats, which Stan Caterbone was previously arrested and
awaiting trial.
December 17, 1987 - The United States Postal Inspector acknowledges receipt of formal
complaint from Stan Caterbone regarding executives from FMG, Ltd., illegally changing or
address; opening of confidential personal and business mail; and withholding and possibly
destroying confidential personal and business mail at Stan Caterbone's leased property of
1755 Oregon Pike, Lancaster, PA, also the headquarters of FMG, Ltd.,.
January 26, 1988 - The Pennsylvania Homeowners Emergency Mortgage Assistance
Program formally and officially denies Stan Caterbone of benefits citing the following: "
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Applicant was terminated from job FMG, Ltd.,), therefore was not suffering from
circumstances beyond his control".
March 14, 1988 - Stan Caterbone is served notice by Lancaster Constables regarding Parent
Federal .Guerin' Bank) v. Stan Caterbone Mortgage Foreclosure of his residence at 2323
New Danville Pike, Conestoga, PA.
May 1988 - Stan Caterbone is forced to sell his residence, and subdues to the undo influence
that he was responsible for all circumstances, and moves to Florida with his brother.
Sep 15, 1988 - Seven Chem-Con executives, including Christian, are criminally indicted for
the firms $15 million defense contracting fraud.
October 23, 1988 -Stan Caterbone, destitute, without a personal residence, automobile, or
any income, and with accumulated debts of more than $65,000 from all related incidents in
the 1987 "Blackmail", sells his FMG, Ltd., holdings to Robert Kauffman and is given $72,000
in proceeds at settlement. This by and of itself will be proven to be extortion. Robert
Kauffman was in fear of Stan Caterbone exercising his large voting rights in the upcoming
FMG, Ltd., annual shareholders meeting, which included the election off FMG, Ltd., Board of
Directors. Stan Caterbone had approximately 19% of the outstanding shares of FMG, Ltd.,
and had the potential to vote someone of his selection to a Board seat. Scott Robertson had
solicited the deal for both parties, and acted as negotiator for both.
July 19, 1989 - Stan Caterbone, Scott Robertson, and American Helix agree on a one year
employment contract, which American Helix will never fulfill in its entirety, and will be
terminated in the following April.
April 1990 - The American Helix Board of Directors, lead by S. Dale High/High Industries,
vote to terminate Scott Robertson of American Helix, and to discontinue the financing of the
CD-ROM business which Stan Caterbone was directly involved. The joint venture agreement
with Network Technologies, or Washington, D.C., had lost an estimated $450,000 in the past
9 months, and the technologies, which were to be delivering revenues, had proven to be
worthless. Scott Robertson had solicited, negotiated, and administer the deal, Stan Caterbone
had raised serious concerns at to the capabilities of both the technologies, the business, and
Network Technologies, early in the project. High Industries then conducted several meetings
with Stan Caterbone to purchase the business, however, Stan Caterbone had told the
executive in a meeting on Good Friday, that he was solely responsible for any business that
was left, and any there was no real value. High Industries agreed to pay Stan Caterbone his
weekly consulting tee only until June 30, in hopes of negotiating an agreement to keep
American Helix in the CD-RON business, which was only feasible with Stan Caterbone,
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because of his knowledge and expertise in "Digital" technologies.
August 2, 1990 - Stan Caterbone discovers that in July, Fulton Bank embezzled $5,000 from
the checking account of Stan Caterbone due to an error by Fulton Bank's accounting
department Fulton Bank refused to credit the account for more than 60 days, without crediting
the lost interest income.
Dec 12, 1990 - Ferranti reports a near $40 million loss for the first half year, but says it hopes
to begin showing a profit before year-end in March 1991a Stan Caterbone receives a call
from James Christian while in custody in the Loretto State prison. Stan Caterbone asked Jim
Christian if he had authorized or had knowledge about the June 23, 1987 meeting between
himself and ISC executive Larry Reach. James Christian answered the question as follows:
"I never knew of such a meeting, authorized a meeting with Larry and yourself. Larry (Reseb)
was the courier for Jim Guerin, that is how I and Chem Con got set up and used as the
scapegoat to divert attention away from You
should talk to Earnest Schriber of Lancaster Newspapers, you can trust him.. Guerin's
attorney (Tate) called to offer
me $1.00 to settle my $93 million law suit against Guerin".
Dec 14, 1990 - At a Christmas party of Bradley DeForge's, Mike Dipaolo, during a
conversation with Stan Caterbone, had stated that "You (Stan Caterbone) had Guns and
Knives in 1987" as the reason for the mental illness fabrications. NOTES: Stan Caterbone
quickly left the party. In addition, during the same time, other such statements from friends,
regarding his present "mental condition", began to mysteriously resurface only after
knowledge of his activities to take legal recourse for the 1987 incidents, and to pursue his due
access to the law.

Stan Caterbone, in order to get work accomplished on the project, traveled to Captiva Island,
and continued his
project, the "AMG Legal Systems Prototype" disc. The "AMO Legal Systems Prototype"
project was a CD-ROM system, designed by Stan Caterbone, that would include all of his
relevant information concerning his alleged ISC Cover-Up, including audio conversations,
and authentic documents, all stored on one optical disc, or a CD-ROM.
The disc and system was finally completed on May 16, 1991.
December 20, 1990 -Stan Caterbone telephones his cousin Ron Roda, from Captiva Island,
Florida, to inform him that he will arrive home in a few days. During the conversation, Ron
Roda, disclosed to Stan Caterbone that both Jim Warner and Jere Sullivan had made
telephone call to his brothers, Phil and Tom, and made allegations of insanity about Stan
Caterbone, and advised the need for medication.
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December 23, 1990 -Stan Caterbone forwards a letter to the Department of Defense Mapping
Agency regarding his bid for the $2.5 million CDROM contract (DMA 700-90-0011), then in
negotiations. Stan Caterbone alleges misconduct in the procurement and for the first time
publicly discloses his allegations of Blackmail immediately following his meeting with ISC
executive Larry Resch on June 23, 1987.
January 9, 1991 - Lt. Madenspacher of the Manheim Township Police Department call Stan
Caterbone at his lab/office in him home at approximately 2:00 pm. Lt. Madenspacher
explains that he had received a copy of the letter to the Department of Defense, that
Detective Larry Mathias had forwarded to him. Lt. Madenspacher questioned his motives of
the letter and stated: "What are you going to do.. We (Manheim Township Police Department)
just don't want to see a multi-million dollar law suit come down our way.." Stan Caterbone
responded, "You know that I was an individual lessee of that property, and in addition I had
never resigned any offices or my Board of Director's seat of FMG, Ltd., .. You also know that
I had met with Larry Resch of ISC on June 2S, 1987, and that I made allegations of
misconduct.." Lt. Madenspacher responded, "We were forced into that (the arrests of Stan
Caterbone on Sept. 3, 1987), we were caught between a rock and a hard place, we were
forced into that".
Lt. Madenspacher then changed the subject to "Digital" technologies, and described the
activities of the police
department of using the same in the telephone surveillance of criminal suspects. Lt.
Madenspacher then requested to meet with Stan Caterbone. Stan Caterbone agreed,
however due to his current busy schedule, confirmed he would contact him later to schedule a
meeting.
January 10, 1991 - Stan Caterbone sends a letter to Lt. Madenspacher of the Manheim
Township Police Department, to schedule a
meeting for Thursday, Jan. 17th at 3:00 pm, at his office at American Helix Technology
Corporation, at the Green field Corporate Park. Stan Caterbone requested a response only if
the time was in conflict of his schedule.
January 17, 1991 - Lt. Madenspacher fails to show up for the scheduled meeting with Stan
Caterbone at Amen can Helix, and never contacted him before that date to change the
meeting, or called to apologize for not being able to keep the prior commitment.
January 18, 1991 - Stan Caterbone sends documents concerning the Blackmail" of 1987 to
several reporters of the Lancaster Newspapers,: Tim MeKeele; Earnest Schreiber; and
Thomas Planner. Tim MeKeele also received a tape with some excerpts of the September
29, 1987 meeting with the PA Securities Commission, where Stan Caterbone discusses
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allegations of misconduct against J. Guerin and ISC.
January 19, 1991 - High Industries American Helix illegally and without notice locks Stan
Caterbone out of his office and the facility of American Helix, who was currently under a joint
venture agreement with Stan Caterbone and his Advanced Media Group, Ltd., for his digital
technologies business. NOTES:: This "Lock-Out" was similar to that of FMG, Ltd., on July 1,
1987. Again conveniently when Stan Caterbone had raised issues and allegations involving
Guerin and ISC.
January 21, 1991 - In fear and confused about his involvement, and in respect to the massive
fraud of the ISC/Ferranti merger, Stan Caterbone sends a package to Ferrantis legal counsel
in England by way of United Postal Service' Overnight International Delivery Service
(Tracking Number 1773 0619 670). NOTES: Stan Caterbone was in fear that a potential
"Cover-Up" by U.S. authorities, and specifically the Lancaster community, would place his life
in danger, and wanted to insure that the information concerning his knowledge of ISC
misconduct before the lSC/Ferranti merger, and his disclosure to local, state, and federal
authorities in the summer of 1987, at least would be received by Ferranti, reducing the
possibility of someone terminating his life in order so that these circumstances would not be
used as an asset in the present Ferranti Legal efforts.
Jan 22, 1991 - In an effort to support his allegations of misconduct and the allegedly
threatening activities of Stan Caterbone, American Helix president Dave Dering has all of the
locks in the building changed by a professional locksmith, which is nothing more than an act
of propaganda.
February 1, 1991 - ABC News 20/20 features the story "Weapons Sales to Iraq" about the
ISC/Cardoen cluster bomb technology and how it got to Saddam Hussain. Feb 17, 1991 Stan Caterbone receives a letter from Sandra K. Paul, of the Citizens Ambassador Program,
a division of People to People International, notifying him that he has been selected to
participate in the upcoming Printing and Publishing Delegation to the Soviet Union and
Eastern Europe in the coming August. People to People International is a nonprofit
organization started by the late Dwitht D. Eisenhower to facilitate the communications of
experts from various professions throughout the world. The objective of the delegation was to
exchange ideas, information, and technologies of the printing and publishing industries with
American counterparts in the Soviet Union, and various Eastern European countries.
February 22, 1991 - Federal prosecutors seize $800,000 from Clark, claiming he was privy to
information about ongoing criminal acts within ISC that generated the tainted cash.
February 1991 -In an American Helix staff meeting, with all employees present, but Stan
Caterbone, president David Dering had spent approximately 20 minutes alleging that Stan
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Caterbone almost ruined his company, and that he "is a runaway ex-convict, that will end up
in jail very soon". The above discussion was disclosed by engineer Al Thornburg, immediately
following the meeting.
May 23, 1991 - At approximately 2:00 pm, Jay Curtis, (appearing as a Department of Defense
contractor, who had recently solicited the services of Stan Caterbone and his Advanced
Media Group, Ltd., to provide engineering in the development of "Digital" simulation and
training applications for various U.S. Military Logistics bases) had called Stan Caterbone. The
following is synopsis of the conversation: "Because of your recent discussions concerning
your knowledge and information about the ISC Scandal, and an alleged "Cover-Up", I had to
do a background check on you, to insure against any problems when including you in by
proposal to the U.S. Department of Defense... Everyone backs up your story, and is looking
over your documents now, including the CIA, IRS, SEC, FBI, Scotland Yard, Attorney
General, the British M-4, and others. They are all verifying and confirming your "cover-up"
allegations.. They don't know what to tell the Press and Media "I also know that you submitted
documents to Mr. Thomas Flannery of the Lancaster Intelligencer Journal". "How did you
know about the CIA and its involvement with ISC, how did you know that, and what do you
know?" NOTES: Jay Curtis kept pushing Stan Caterbone on the CIA issue, and what he had
known and how he knew, Stan Caterbone kept telling him that the whole situation was to
emotional, and that he was afraid for his life. Stan Caterbone had to eventually tell Mr. Curtis
that he could not discuss this anymore. He abruptly changed the subject and hung up on Mr.
Curtis. Stan Caterbone immediately went to a friends house, and disclosed that fact that he
was in fear for his life. He quitly sat on the steps with his friend, Abby. Later that night, his
friend Dave Pflumm would take him to the corner bar for a few drinks, while unknowing to
Stan Caterbone, Ted Koppel was disclosing the story of the CIAs involvement with ISC.
Several hours later, Ted Koppel broke the story about the CIA and ISC's covert operations to
sell arms to Iraq. Immediately following the conversation with Mr. Jay Curtis regarding the
CIA and ISC, Stan Caterbone packed a suitcase and confidential information assets, in
preparation to leave Lancaster, in total and legitimate fear for his life.
May 23, 1991 - ABC News/Nightline and Ted Koppel feature the first in a series of stories,
relating to CIA knowledge of a covert operation to supply munitions to south Africa
implemented by ISC and Carlos Cardoen. The story featured Lancaster and ISC. The report
ties Guerin to the National Security Agency project in the 1970s. The report was investigated
by ABC News, the Financial Times of London, and the Lancaster Intelligencer News. Tom
Flannery of the Lancaster Intelligencer Journal, appeared on the program and was given
credits on the show.
May 24, 1991 - The Lancaster Intelligencer Journal reports on the above story. At
approximately 1:30 pm, Stan Caterbone drives out of Lancaster, en route to a safe haven,
and stops at a convenience store and reads the early edition of the Lancaster New Era,
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learning for the first time of ABC News/Nightline story about ISC and the CIA the evening
before, just hours after his conversation regarding the same to Jay Curtis.
June 7, 1991 - Stan Caterbone is again arrested by the Stone Harbor Police. After passing
several sobriety tests, and two breathalyzer tests, Stan Caterbone is placed in a jail cell, and
refused to be released. Several hours later, Stan Caterbone is cited for outstanding arrests
warrants of Avalon, NJ, dated back to August 14, 1987, by an officer of the Avalon Police
department who suddenly appeared. Both arresting officers demanded $340.00 for the
posting of bail. Stan Caterbone requested that the required cash be retrieved from his car,
located just a few blocks away. The Avalon police officer responded by saying, "we can't let
you go to your car, you may have a gun in there". Stan Caterbone was immediately escorted
to the cape May county Prison, fingerprinted and processed.
June 8, 1987 - Stan Caterbone calls Mike Orstein, Lt. of the Stone Harbor police patrol, and
requests that he retrieve the required cash from his car, and post the required bail. At
approximately 2:30 pm, Stan Caterbone is released on bail.
June 11, 1991 - Stan Caterbone left the Stone Harbor Marina at approximately 12:30 am en
route to Lancaster, Pa, to retrieve some files concerning the ISC cover-up. Upon driving north
on Route 47 (the normal route to Lancaster), approximately 10 miles outside the Cape May
county Courthouse, Stan Caterbone noticed a car following him closely. Suspicious, Stan
Caterbone decreased his speed from 55 mph to 35 mph, in order for the car to pass him.
However, the car remained directly behind, adjusting the speed accordingly. In an effort to
elude the car, without raising suspicion, Stan Caterbone gradually increased his speed, while
also increasing the distance between the cars, resulting in the loss of his taillights to the
ensuing vehicle - Because of the winding road, Stan Caterbone looked for an abrupt turn-off,
in hopes of dashing the eluding vehicle, by loosing sight of his taillights. There was little or no
traffic on the route during the early morning hours, and Stan Caterbone stopped at an
intersection, and noticed that the headlights of the ensuing vehicle were not visible in his rear
view mirror, meaning that his taillights were also not visible to the ensuing vehicle.
Immediately upon pulling from the intersection, Stan Caterbone noticed a narrow dirt road
that lead into a field of small trees, the perfect place to sit for the ensuing auto to pass him,
unnoticed. The ensuing vehicle pulled to the intersection, and continued north on route 47, in
the direction of Lancaster. Stan Caterbone sat in his vehicle a few minutes, until continuing
on his travel, north on Route 47. Approximately five (5) minutes later, a car traveling in
excess of SS mph, approached Stan Caterbone, traveling south on the same road (2 lanes)
As the two cars approached each other, and approximately 30 yards from reaching each
other, the approaching vehicle drove directly into the lane of Stan Caterbone, with its high
beams on, and continued straight for his vehicle, or what appeared to be a head-on-collision.
Stan Caterbone drove off of the berm of the road, missing a line of trees by less than 12
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inches (eluding a life threatening disaster), and passed the vehicle that was still in the north
bound lane, heading south. Stan Caterbone, shaking and sweating furiously, noticed the cars
brake lights go on, and the car apparently turned around, and began pursuing Stan Caterbone
again. Stan Caterbone drove as fast as he could to Route 55, hoping to find traffic in order to
hide and loose the pursuing car. Stan Caterbone arrived in Lancaster, at approximately 3:00
am, and again noticed a car sitting in the parking lot of the vacant "Sportsman's Den", at the
intersection of the New Danville Pike and Prince Streets. Upon driving west on Hershey
Avenue, Stan Caterbone noticed the car following him. In an effort to identify the license
plate, Stan Caterbone made a few turns in the area of Hamilton Watch, and followed the car
heading north on S. West End Avenue. The car was a late model, gold or tan, Cougar or
possibly a Buick Park Avenue. Stan Caterbone watched the car increase his speed, and
finally changed directions and proceeded to his residence, and parked a few blocks away, and
walked through the woods, to his apartment in the Hershey Heritage complex. Stan
Caterbone then used a flashlight, in order not to reveal his presence, and returned to his
vehicle, sometime in the early morning, during daylight.
June 19, 1991 - Stan Caterbone leaves Stone Harbor, in constant fear for his life, and
remains in seclusion, in various parts of Eastern Seacoast, spanning from Captiva Island,
Florida, to Boston, MA, in order to prepare an official request Congressional Investigation of
all related matters.
Jul 11, 1991 - Stan Caterbone files an official request C300 pages) for a Congressional
Investigation into all of the ISC and preceding issues with U. S. Representative Robert
Walker CR-Pennsylvania), and Speaker of the House, U. S. Representative Thomas Foley.
Overnight Mail Service of the United States Post Office, outside of Baltimore, Maryland, sent
both requests.
July 12, 1991 - Stan Caterbone returns to his home, in Lancaster, PA, at approximately 12:00
pm, after remaining in seclusion immediately following the phone conversation of May 23,
1991 with Jay Curtis, regarding the CIA and ISC. ABC News/Nightline features it's second
story about Lancaster's ISC and Arms to South Africa and Iraq.
July 18, 1991 - U.S. Representative Robert Walker sends a letter to Stan Caterbone relating
to his request for a Congressional Investigation into all of his allegations of misconduct and
criminal wrongdoing regarding his alleged ISC/Fraud "cover-up". The letter said : "Thank you
for your recent letter and information on International Signal & Control corporation. I
appreciate your thinking of me; however, since this case is before the courts, it is unethical
for me to interfere with judicial process. If you think I may be of assistance with other matters,
please feel free to contact me".
August 1, 1991 - Stan Caterbone receives a notice of a warrant for his arrest by the Stone
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Harbor (NJ) Municipal Court, regarding summons #081370. Stan Caterbone called the Court
Clerk, Pam Davidson, to explain the circumstances. The Court Clerk refused to identify
herself, and did not have time to listen to his explanation. She then questioned why he (Stan
Caterbone) wanted to write to the Judge to explain. Stan Caterbone writes a formal letter to
Judge Peter M. Tourison, of the Stone Harbor Municipal Court explaining his allegations of
misconduct, and the issues surrounding his recent arrest of June 7th, and all of the arrests
dating back to August of 1987. Stan Caterbone had described in detail his assertions and
evidence that the arrests were conveniently orchestrated while he was seeking legal recourse
for the alleged ISC "Cover-Up'. Stan Caterbone also explained his fear for not returning to the
Stone Harbor Municipality, in light of the fabricated arrests, and other questionable incidents.
Stan Caterbone requested another means of settling all outstanding frivolous traffic
violations, other than appearing in Stone Harbor Municipal Court. Stone Harbor Municipal
Court Judge, Peter M. Tourison, sends Stan Caterbone an official letter acknowledging
receipt of his previous letter and explanations. Judge Tourison concluded his notice by
demanding that Stan Caterbone appear in Court, as scheduled, "to have this matter taken
care of in the proper manner.
August 13, 1991 - Ferranti announces it has recovered $650,000 hidden by Guerin in a
number of Swiss Hank accounts. Ferranti also announces a fiscal 1991 loss of $282 million.
Stan Caterbone responds to Judge Tourison letter of August 8, and discloses the recent
attempt on his life, the past June, just outside or Stone Harbor, and states that because of the
apparent criminal conspiracy within the same municipality, Stan Caterbone formally notifies
the Judge that he refuses to return to Court, as requested.
August 15, 1991 - Guerin and Cardoen are shown to have been deeply involved in a failed
$100 million arms procurement plot linked to the infamous Iran-Contra scandal.
August 16, 1991 - Stan Caterbone receives a formal notice and demand from American Helix
President David D. Dering, for the return or equipment, currently in the possession of Stan
Caterbone, and notice of the termination of the business agreement, dated October 1, 1990
between Stan J. Caterbone and American Helix Technology Corporation. Stan Caterbone
receives a facsimile from Mike Hess (former ISC engineer who frequented S. Africa and who
solicited Stan Caterbone in late 1989 for work), and refuses to sign a non-disclosure
agreement with Stan Caterbone and the Advanced Media Group, Ltd., as requested to
continue a further relationship considering the recent activities from the May 23rd phone call
and the national media publicity regarding the ISC Scandal.
August 19, 1991 - Stan Caterbone sends a letter to attorney Timothy Lanza via the Lancaster
Bar Association, and asks for an explanation as to his misrepresenting to Stan Caterbone for
the past month that his order for Advanced Media Group, Ltd., stock certificates were
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ordered, when in fact Stan Caterbone verified with authorized personnel of the H. Burr Kein
company that the order was never placed. Timothy Lanza had personally disclosed to Stan
Caterbone on several occasions that he was awaiting the delivery of the certificate kit via
UPS. Stan Caterbone responds to the previous letter of David D. Dering, and his request for
the return of American Helix equipment, currently in the possession of Stan Caterbone. Stan
Caterbone formally notifies David Dering that the equipment will be held as collateral,
according to statutes of the Pa. Uniform Commercial Credit code, that the equipment will not
he returned until the past due invoice {# 1018), of the Advanced Media Group, Ltd., of July
12, 1991 for $4,914.00, which was due upon receipt according to their business agreement,
was paid in full.
August 29, 1991 - A federal judge dismisses Christian's $93 million suit against Guerin, but
Christian vows to re file the suit.
September 13, 1991 - ABC News/Nightline features another story about ISC, the CIA, and
Arms Deals, in preparation for the beginning of the-Confirmation Hearings of George Bush's
nomination or the Director of the Central Intelligence Agency, Robert Gates, which begins just
three days away, by the Senate Intelligence Committee.
September 14, 1991 - Ferranti and Clark reach an agreement to settle their legal battle,
although either party does not disclose details. September 16, 1991 - The first day of the
Robert Gates' Confirmation Hearings brings questioning by Senator Murkowski, of the Senate
Intelligence Committee, about knowledge of the ISC operations by Robert Gates. Gates,
whose candor about Iran-Contra resulted in his 1987 withdraw when nominated for the same
slot by then President Reagan. In a less-than sincere line of questioning, Robert Gates denies
any knowledge of ISC, Guerin, or Carlos Cardoen, including any operations to sell munitions
to Iraq or South Africa. In addition, he denies any knowledge of any CIA involvement in the
same.
September 19, 1991- Stan Caterbone visits the office of Senator Bill Bradley (D-New Jersey),
in the Hart Office Building, Washington, D.C., and delivers documents, tapes, and a video, all
relating to his allegations of an alleged "Cover-Up" regarding the ISC Scandal. Assistant
Jackie Widrow, who signed a receipt, took the materials.
September 21, 1991- Stan Caterbone delivers a contract for the consulting services he has
agreed to provide to J. Oman Landis, in order to insure against any wrongdoing, and
especially in light of Mr. Landis' assertion the previous Friday that "you (Stan Caterbone) are
taking a break (from business) to rest your mind". This assertion conveniently supports the
alibi of mental insanity, that has been made by numerous persons, including Mr. Landis'
friends, the High's, who wholly own American Helix Technology Corporation. Several hours
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after delivering the contract to Mr. Landis, and after beginning to work, as outlined in the
contract, Mr. Landis called Stan Caterbone into his office and said "there were some
developments over the weekend, why don't you continue on your normal duties of driving
(limousines), this has nothing to do with the contract that you asked me to sign".
October 1, 1991 - Stan Caterbone receives a facsimile from David Dering, President of
American Helix, formally charging Stan Caterbone with charges of 16,730.00. David Dering
also demands that the equipment be returned, and upon receipt, American Helix would
forgive $11,816.00 ($16,730 - $4914)(Caterbone's invoice) of unpaid charges to Stan
Caterbone and or the Advanced Media Group, Ltd., Stan Caterbone sends by certified mail, a
copy of a recent complaint (filed Sep. 6, 1991) to the New Jersey Department of Motor
Vehicles, and a demand for the title to his boat, and again allegations of criminal wrongdoing
by the Stone Harbor Marina, for not delivering title, given the bill of sale was satisfied on June
10, 1991, and a fee for the title was paid as well. Stan Caterbone personally meets with Ted
Koppel, of ABC News/Nightline, at the Washington National Airport, at approximately 5:30
pm. Stan Caterbone questioned Ted Koppel if he knew a Mr. Jay Curtis, and why he was
questioned about the CIA's involvement with the ISC affairs, just hours before the broadcast.
Ted Koppel denied any knowledge of Mr. Jay Curtis, and stated that Thomas Flannery was
involved in the broadcast requested the phone number of Stan Caterbone, and said that he
would contact him later, due to his present time constraints, and asked "what do you want,
and what is the story line?" Stan Caterbone responded, "Justice and protection, someone is
trying to cover me up, and someone already made attempts on my life... someone keeps
getting information from me, while I'm left sitting in Lancaster like a sitting duck".
October 2, 1991 - Stan Caterbone responds by facsimile, to the Oct. 1, correspondence, to
David D. Dering. NOTES: Stan Caterbone requested supportive documentation regarding the
suspicious charges of $16,730.00 as declared, in order to consider the request for the return
of the equipment. David C. Dering responds by facsimile, demanding for Stan Caterbone to
meet him at the Holiday Inn, in Lancaster on Friday, Oct 4th, with the equipment in his
possession, and states that he will deliver the required supportive documentation of the
charges as requested.
October 2, 1991 - Stan Caterbone responds by facsimile to Ted Koppel, as to his question
concerning the "story line" October 31, 1991 - Guerin and 19 others, including Larry Reach,
are indicted on 75 criminal counts by the Philadelphia based grand jury. Laura McQueen,
administrator for the New Jersey Department of Motor Vehicles, called Stan Caterbone at
approximately 3:30 pm, to notify him that she was trying to sort out the problem with his
complaint regarding title to his boat. Ms. McQueen acknowledged that the Stone Harbor
Marina had submitted an application for a title, apparently dated on or about June 10,
however the identity of the boat did not match that of for Stan Caterbones. Ms. McQueen
also admitted that there seemed to be evidence of wrongdoing, but denied to state whether
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the matter was presently being investigated. Ms. McQueen also stated that the title in
question was being microfiche, and that within a few days, they should be able to trace the
title, and resolve the problem. Robert Clyde Ivy, Terrance Faulds, Wayne Radcliffe, Gerald
Schuler, and Thomas Jaslin enter not guilty pleas to all charges handed down by the
Philadelphia grand jury.
November 24, 1987 - Robert Shireman, ISC financial executive pleads his guilt in the ISC
$billion fraud and scandal.
November 25, 1987 - Anthony Stagq, ISC executive in charge of Singapore operations,
pleads guilty in the Arms Export violations.
November 27, 1987- ISC Executive Larry Resch pleads guilty to his role in the massive
contract fraud in the Ferranti/ISC merger of November, 1987.
December 3, 1991 - Philadelphia grand jury hands down a "superseding indictment",
clarifying the money laundering portion of the charges. The indictment states that between
November of 1986 and June of 1989, Guerin looped $450 million through phony bank,
vendor, -and customer accounts to give the appearance several of the bogus ISC contracts
were real. The preceding information also allows for the possibility of an indictment of William
Clark, and possibly his attorney Joseph Roda. The largest of the fake contracts was the
Pakistan Missile deal, in which Larry Resch was charged and indicted by the
grand jury for managing. Stan Caterbone's best friend in the whole world, little "Abbey
Pflumm", shouts his name, "Taan", for the first time.
December 3, 1991 -Mike Hess, a former ISC engineer that also has done work for Stan
Caterbone, visits
Stan Caterbone to deliver all materials in his possession which is the property of the
Advanced Media Group, Ltd., Stan Caterbone and Mike Hess engage in an argument when
Mike Hess becomes annoyed at Stan Caterbones continued caution and suspicion of Mike
Hess's real motives and agenda for the relationship. Stan Caterbone had witnessed several
incidents of inconsistencies with the attitude of Mike Hess, with specific respect regarding
Stan Caterbone's efforts for justice and legal recourse concerning the affairs of 1987. Stan
Caterbone admitted in several occasions that he will never trust anyone, especially given his
former association with ISC, and most importantly his activities and travel to South Africa.
December 4, 1991 - Stan Caterbone calls the Citizens Commission of Human Rights, after
seeing the organization featured on the Murray Povich Show, and talks to Roy Griffen. The
organization's mission is to investigate abuses within the mental illness profession. Roy
Griffen requests information, and agrees to investigate his allegations. Stan Caterbone states
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that he will Federal Express a copy of this chronology.
December 5, 1991 - At approximately 10:00 am, Stan Caterbone sent a package of
information via Federal Express (tracking number 9734766S93) to:
Roy Griffen
Citizens Commission for Human Rights
6362 Hollywood Blvd.
Los Angeles, CA 90028
(800) 869-2247
The package was received at 9:56 am (PST) by L. Mezkerlsl, at the front desk.
December 5, 1991 - At approximately 4:52 pm, James Guerin pleads guilty to eight (B) grand
jury indictments of October 31. The indictments are as follows:
?? Criminal Conspiracy
?? Violation, Arms Export Control Act
?? Violation, Comprehensive Anti-Apartheid act.
?? Money Laundering
?? Securities Fraud
?? Filing False Income Tax Return
?? Aiding and Abetting the Commission of crime.
Sentencing is scheduled for February 25, 1992, with a minimum of 14 years, and a maximum
of Life in prison.
December 4, 1991 - Stan Caterbone receives uninvited visitors at his residence, cousin Sam
Miller family, who in September left him stranded in Florida. They conveniently need a place
to stay, while visiting in Lancaster, and purposely cause distractions to his efforts for legal
recourse.
December 11, 1991- Stan Caterbone finally requests that Michelle and Jason Miller vacate
his residence.
December 20, 1991- Stan Caterbone receivers a notice from the Internal Revenue Service
regarding a discrepancy in income reported on his 1989 Federal Income Tax Return. The
items in question were his "disability income" from Monarch life insurance and American
Helix "non-employee income".
December 23, 1991- Stan Caterbone responds to the IRS letter and submits a copy of the
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chronology of this conspiracy, along with the entire audio transcript (2 - 90 minute cassettes)
of his meeting of September 29, 198? with the Pennsylvania Securities Finding of Facts
Resulting in Chapter 11 Bankruptcy Page 41 Commission and requests assistance in his
ordeal. The correspondence was sent via 'Return Receipt Requested" in order to insure proof
of delivery. Stan Caterbone sends an updated chronology to Roy Griffen of the Citizen's
Commission for Human Rights.
December 28, 1991- Stan Caterbone sends a formal notice to attorney Howard Cerny, 245
Park Avenue, New York, informing him to return the previously submitted information and
tapes regarding this case, and also informing him that he no longer wishes to discuss these
issues with him or any member of his firm.
December 30, 1991- Stan Caterbone travels to the U.S. 9:50 am courthouse in Philadelphia,
PA, and personally delivers the chronology and a copy of the "1987" Pennsylvania Securities
Commission meeting to Chief Judge Bechtel, who is presiding over the ISC court preceding.
10:00 am Stan Caterbone visits the U.S. Attorney Generals office in the same building and
files a formal complaint, "Criminal Conspiracy to "cover-up" the International Signal a Control
scandal. The proper form is filed with the clerk. Assistant U. S. Attorney General Gray asks
Stan Caterbone to briefly describe his complaint. Stan Caterbone gives Gray the chronology
along with the tapes. Stan Caterbone briefly describes the meeting of June 23, 1987 with
Larry Resch, the nay 23, 1991 phone call from Jay Curtis, the arrests by Manheim Township,
and the attempts on his life. Agent Gray took notes, and said he is not
familiar with the case, but would personally see that the information is passed to the proper
authorities involved in the case. During the conversation, Mr. Gray asked the exact same
question that was asked by both Joe Roda and Investigator Eisler of the Pennsylvania
Securities Commission) "But you did not work for them (ISC), you were not involved with
them?" Stan Caterbone gave this response to all questions by Mr. Gray: It's all in there (the
chronology), all of the information and events".
January 6, 1992 - Stan Caterbone sends a copy of the criminal conspiracy chronology and a
complete audio transcript of the PA SEC meeting of 1987 to the legal counsel of the
Pennsylvania Securities Commission via Certified Mail Return Receipt Requested: P825 695
935.
January 8, 1992 - At a "Town Meeting" in Columbia, Pennsylvania held by U. S. Senator
Arlen Spector, Stan Caterbone personally delivers a copy of the criminal conspiracy
chronology to Anon Spector after the meeting and asks Arlen Spector to read the letter, Mr.
Spector replied, " I will do that".
January 9, 1992 - Stan Caterbone receives the Return Receipt from the Pennsylvania SEC,
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signed by Sharon F. Heinspach on January 8, 1992.
November 8, 1997 Stan Caterbone solicits Attorney Matt Samley, of the law firm of Xelkallis,
Reese and Pugh, to provide a legal opinion as to the circumstances involved in the cover up.
Mr. Samley quickly asks if anyone had called Stan Caterbone about the issues. Mr. Samley
agrees to review the documents and will provide a legal opinion of any criminal and
prosecutorial misconduct.
November 23, 1997 - Stan Caterbone delivers materials to Mr. Samley and also sends via
Federal Express the same materials to Christina Rainville, of Shnader, Harris, Lewis, and
. With a letter requesting a legal opinion from Ms. Rainville.
December, 8, 1997 - Ms. Pam Pflumm call Dr. Albert Shultz regarding the behavior of Stan
Caterbone.
December 15, 1997 - Stan Caterbone telephones Jim Christian to again confirm that he did
not have knowledge of his meeting with Mr. Larry Resch. Jim Christian began threatening
Stan Caterbone from public disclosure of these issues, he said you have to forget about it.
Your life will be worse off than it is now, you better just forget it
January 14, 1998 - Stan Caterbone visits with Fr. Edward Lavelle for advice and guidance
concerning his situation. Stan Caterbone only asked that Fr. Lavelle call Mr. David Pflumm,
and ask he and is key employees refrain from inflicting any additional mental duress upon his
person Fr. Lavelle refuses unless he is told to do so by Dr. Al Shulz. He offers no further
assistance. 1:00 pm A few hour later, Stan Caterbone visits Dr. Al Shulz for his quarterly
appointment. Immediately upon entering the appointment, and before the plaintiff will speak
any words, Dr. Al Shulz will contemporaneously accuse the plaintiff and declare: Stan, you
are very sick. You are not well! You need to take additional medications. The recorded
transcript will prove the horrid implications of these conversations.
February 20, 1998 The plaintiff is forced to vacate his position of Controller of Pflumm
Contractors, Inc., due to the purposeful and intentional infliction of mental duress, perpetrated
as a direct reprisal
against the Plaintiffs rightful pursuit of due process of the law concerning all issues contained
herein.
April 21, 1998 The Pennsylvania Department of Labor and Industry will again illegally deny
the Plaintiff of his legitimate claim for Unemployment Compensation Benefits, which again is
an act of reprisal against his rightful pursuit of fair access to the law, and his disclosures of
the incidents contained herein.
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The Pennsylvania Department of Labor and Industrys 1987 rulings against the Plaintiff have
been also proven to be in err, which conveniently and intentionally subjects the Plaintiff to
financial hardship and mental duress, all purposefully hindering the Plaintiffs right to access
the law. The record of the plaintiffs claim for Unemployment Compensation Benefits is
corrupted.
Dec 16, 2004 Plaintiff sends a complaint to Agent Sarsfield of the Pennsylvania Attorney
Generals Office in Pittsburg regarding illicit telephone activities:
December 15, 2004
Stan Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Commonwealth of Pennsylvania
Office of Attorney of General
Bureau of Consumer Protection
Pittsburgh Regional Office
6th Floor, Manor Building
Pittsburgh, PA 15129
Attn: Ms. Shannon J. Sarsfield
Ref: Verizon Customer Relations, C-006142-2004
Dear Ms. Sarsfield:
I appreciate your review of the aforementioned file. I was also in receipt of the November 19,
2004 response of the complaint from Verizon. For the record, I have made several previous
attempts prior to the July 28th request to be place on their Do Not Call list. I had made
several calls in the previous months, and the calls did not stop. My telephone has been used
as a means of harassment and intimidation, with my calls often being intercepted,
misdirected, or impersonated. And often calls from Out of Area made several times a day,
with no answer. If you were to do an audit of my calls (in/out) over the last several years, you
would reveal the nature of these activities.
Thank you for your efforts.
Sincerely,
Stan Caterbone
Dec 16, 2004 Plaintiff sends a complaint to Agent Sarsfield of the Pennsylvania Attorney
Generals Office in Pittsburg regarding illicit telephone activities:
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December 15, 2004
Stan Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Commonwealth of Pennsylvania
Office of Attorney of General
Bureau of Consumer Protection
Pittsburgh Regional Office
6th Floor, Manor Building
Pittsburgh, PA 15129
Attn: Ms. Shannon J. Sarsfield
Ref: Verizon Customer Relations, C-006142-2004
Dear Ms. Sarsfield:
I appreciate your review of the aforementioned file. I was also in receipt of the November 19,
2004 response of the complaint from Verizon. For the record, I have made several previous
attempts prior to the July 28th request to be place on their Do Not Call list. I had made
several calls in the previous months, and the calls did not stop. My telephone has been used
as a means of harassment and intimidation, with my calls often being intercepted,
misdirected, or impersonated. And often calls from Out of Area made several times a day,
with no answer. If you were to do an audit of my calls (in/out) over the last several years, you
would reveal the nature of these activities.
Thank you for your efforts.
Sincerely,
Stan Caterbone

Approx 1:00 pm Plaintiff meets with Michael Landis, County Detective for Lancaster County,
in his office at the Lancaster Courthouse to discuss J. Karpathious and death threats and the
Southern Regional Police Department. Plaintiff sends email to Michael Landis and a copy of
the 1998 Affidavit in the email. Supreme Court announces plans to review Lambert Appeal
the next day.
Dear Mr. Landis,
Thank you for taking the time to meet with me yesterday. I appreciate your time. I understand
your frustration in trying to understand the circumstances regarding my situation. I have
enclosed a document which I authored in 1998 to help you. Also, if you could, maybe you
could help to facilitate my application for food stamps with the County Assistance Office. I
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would appreciate it.
Have a nice day.
Respectfully,
Stan J. Caterbone

Feb 18, 2005 Plaintiff sends the following letter to the Chief of Police of the Southern
Regional Police Department:
February 18, 2005
Stan Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Chief John A. Fiorill
Southern Regional Police Department
3284 Main Street
P.O. Box 254
Conestoga, PA 17516
Dear Chief Fiorill:
I am very disappointed in the way that our meeting had ended. I will be filing complaints With
the appropriate authorities concerning the threats and abuse by Officer Busser. Remember
you had requested that meeting. And as you stated, I do not believe anything that you say,
well Sir, that is certainly your choice, however I have never provided anything but the truth to
you or any member of your department. The burden of proof to my allegations falls within
your jurisdiction. If you are telling me that I have to prove every allegation when I report a
crime, I just dont know how that is possible. But you are the Chief of the department, so I
guess I will have to protect my person and property in any manner that deems appropriate. I
apologize for becoming loud and frustrated, however when you tell me that I am lying and I
am most certainly telling the truth; and then you and Mr. Busser yell that I am nuts and to get
out of here; and that no one will respond to any of my calls to your office, well we have a
very serious problem. You both have challenged my integrity, my truthfulness, credibility, and
my sanity. And Mr Busser pulling out his night stick and holding it up to hit me, that is more
than enough for me.
I get the picture loud and clear. I hope that you do as well.
Respectfully,
Stan J. Caterbone
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Cc: Donald Totaro, Lancaster County District Attorney
Feb 19, 2005 Plaintiff files the following complaint with the The Internet Fraud Complaint
Center (IFCC) after the incident of Kerry Egan calling 911 to file a false report of plaintiff
sending an email stating to kill himself.
Saturday, February 19, 2005
Stan Caterbone
220 Stone Hill Road
Conestoga, 17516
The Internet Fraud Complaint Center (IFCC) is a partnership between the Federal Bureau of
Investigation (FBI) and the National White Collar Crime Center (NW3C).
February 19, 2005 7:26 am
At approximately 5:00 am this morning the Conestoga Police entered my home and accused
me of sending an email to Kerry Egan threatening to kill myself. The officer verbally and
physically abused me because I did not know what he was talking about and he kept
interrogating me and handcuffed me because I said that I was not on the internet after 10:00
pm on February 18, the evening before. The officer told me that I sent an email to Kerry Egan
and she called 911 at approximately 5:00 am this morning. I told the officer that I did I fell
asleep at approximately 1:00 am and did not awake until the officer arrived at my house.
The officer was quite abusive and tried to accuse me of lunging at him, when in fact he was
throwing me around. Pam Pflumm, who previously filed trespass charges against me, and
whom I was to have no contact with, illegally entered my home with the officer, via a key
which I had kept on the deck. Before they entered my home, I called 911 and requested that
the Pennsylvania State Police come to my aid because of the verbal and physical threats that
I received earlier in the day from Officer Busser and Chief of Police Fiorill of the Southern
Regional Police Department. After they had left, I took a shower and almost collapsed from
exhaustion and trauma. I got dressed and went to the emergency room of Regional Hospital,
former Saint Joseph Hospital. Dr. Laird attended to my concerns.
Feb 20, 2005 Plaintiff calls Southern Regional Police Department and Humane League to file
formal complaint of Cruelty to Animals. Both refused to investigate or file any reports.
Complaint phoned in to the Humane League on Feb 20, 2005 As described to a Letter To The
Editor, Gil Smart While I was away for a family emergency, I had someone let my two cats
out after being inside for a few days, which I have always done in the past. I returned after
being in South Florida for one week. Upon driving toward my driveway, my one cat was
anxiously awaiting my arriveal. However, my second cat was not there. This was immediate
cause for concern, since being mother and son, they had always stuck together. After a few
days I knew that my cat was either abducted or was harmed. No way would he be around and
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not come home. The other evening I went over to my suspect neighbors home, whom I know
often has been mischevious toward my property in the past, and asked him if he saw my cat.
He went on to tell me how big my cat is and how he is the "king of the neighborhood". I found
this conversation to be typical bull.... He said "don't worry it will show up soon!" Last evening I
found my dead cat lying by my pond with a possom chewing on its ear. I examined the body
and found that it's neck had been broken with no other signs of any other wounds. I called the
Humane Shelter and talked to a Cruelty Officer who said" There is nothhing we can do if you
did not see anyone physically harm the animal" Is this the way it is? You have to prove a
crime before they will investigate? Sounds alittle backwards to me, but then again I often
forget where I am at.
Feb 21, 2005 Plaintiff sends letter to Fulton Bank regarding the death of Thomas Caterbone
and the alleged indiscretions and illegalities of the activities of Fulton Bank.
Monday, February 21, 2005
Project Hope
Mr. Stan Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Mr. Scott Smith
Fulton Financial Corporation
One Penn Square
P.O. Box 4887
Lancaster, PA 17604
Dear Mr. Smith:
The reason I had called you on Friday morning was to discuss an outstanding issue with you.
I am not threatening you or coming to you as an adversary, but rather just trying to
understand how your institution can be so cold and rude to my family. On Thursday I visited
the Manor Branch to discuss the account for Tom's Project Hope, our nonprofit foundation
which advocates awareness for suicide prevention, with a focus for teenagers. Of course this
foundation was founded after the suicide of my youngest brother, Tom, in 1996. Well, I never
had so much trouble trying to gain access to our account's statements than I did on that day.
All that I heard was how much I would have to pay to get copies of the statements. Which in
itself is a little disheartening, considering we are a non-profit giving something back to the
community. We are a major donor for CONTACT Lancaster. And it is this attitude that
inspired me to address the very reason Tom's Project Hope was unfortunately founded. I had
asked the Customer Service person what would happen if I made an attempt to deposit a
check in an account that did not have funds available at that time. She said "we have to give
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you the choice to deposit the check or wait until there are funds". I said are you sure, she said
"oh yes, you have the choice to make the deposit or not". I said that is what I thought was the
policy or rule. In 1996 my brother, Tom, had his accounts with your bank. He was given a
check in the amount of approximately $60,000 by an account from Ms. John Depatto.
Forgive me but I do not have the energy to retrieve all of the details at this time. My brother
went to the Manor Branch to deposit that check, and was refused on at least 3 occasions from
making that deposit. I know this because he was calling me asking for advise and help. I
remember telling him to seek legal counsel because this was not right. Your tellers refused to
take the check for deposit because there were no funds available. I kept telling him that this
was wrong and that he should make the deposit incase funds became available the check
would be honored. But your tellers kept refusing to make that deposit. I then went on to learn
that funds did become available and were paid to other entities that had NSF checks waiting
for funds, which would have been behind my brothers check had your tellers accepted that
deposit. If you carefully review the financial problems my brother encountered prior to his
death, you would see that this was the one transaction that started a spiral of events that
caused him a great amount of stress and duress. And I know this because I was trying to help
him. I eventually took him to the emergency room of St. Joseph Hospital just 4 days prior to
his death.
Now, Sir, you tell me how you would feel if you were in my position, and what would you want
to happen. I have kept this to myself for far too long, and since I have had my own problems
with your institution in a similar way back in 1987. I would like to understand why we are
treated like this, and ask that these matters be addressed.
Put yourself in my position, would you want anything less?
This is for my brother, Tom, God rest his soul.
Respectfully,
Stan J. Caterbone
Project Hope
Finding of Facts Resulting in Chapter 11 Bankruptcy Page 51
Feb 22, 2005 Plaintiff sends email to Lancaster District Attorney Donald Totaro after
Supreme Court announces Lambert Case is being reviewed by the Supreme Court of the
United States, one day after Plaintiff reviews affidavit for the first time in 7 years.
Dear Don:
Just so there are no misunderstandings, I have never had, nor do I have now, any information
regarding the Lambert proceedings. I have never spoken to anyone concerning the same. I
am very suspect as to the timing of this announcement and find it very disturbing given the
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document that I had innocently resurrected after 8 years. My only intent in writing that
document was to find resolve for my own tragic situation. I believe a jury trial would have
been the only fair way for an equitable resolution to this case. Had that occurred in the
beginning, I don't believe we would be confronting this issue today. I meant no disrespect
toward your office or that of the state. As far as the police, it is the same, except that I was
very angered at the few that have treated me with such malice, which is in no way a
condemnation for the men in blue. I was literally fighting for my life, and still continue to this
day.
Respectfully,
Stan J. Caterbone
Feb 26, 2005 Plaintiff sends letter to President Bush and White House staff addressing
concerns regarding National Security Issues and this case and receives positive signal to
proceed to court. Iraq
National Security
To: President George W. Bush
From: Mr. Stan Caterbone <amgroup01@msn.com>
Subject: Write a Supporting Comment on National Security (Iraq)
Dear President Bush:
I need to know if any information contained herein compromises the security of the United
States of America. I have been getting mixed signals as to this question, and my life has
been constantly
threatened because of this document. I would submit to a polygraph to verify the credibility of
any of the facts contained in this document. I was the sole author of this writing back in 1998.
If you believe that this document does threaten our Nationa Security, I would like to
personally deliver the accompanying information assets to yourself or the National Security
Agency upon request. If you believe that this document does not compromise the National
Security in any manner, then I would ask that you uphold my civil liberties in continuing my
efforts to adjucate these matters and find an opportunity for remedy in the appropriate court
of law.
I remain,
Stan J. Caterbone
Mar 14, 2005 Plaintiff files complaint to the American Civil Liberties Union of Philadelphia,
PA after the Intake Director directed plaintiff in filing protocols.
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March 14, 2005
Stan J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
American Civil Liberties Union Of Pennsylvania
Philadelphia, PA
intake@aclupa.org
Re: Complaint
I have had many persons levy attacks and harassment upon me with explicit statements
defaming my character and slandering me with such statements as calling me "insane, crazy
and nuts". I have been abused, both emotionally and physically, which are a matter of record,
by the Southern Regional Police Department, formally the Conestoga Police Department. I
have had several fabrications and false reports concerning alleged suicide attempts, all of
which have been proved to be total lies. There has been total disregard for my civil liberties
and numerous violations of my civil rights. All of these incidents are intended to provoke and
illicit the very same behavior they accuse me of; that of being mentally unstable.
The reason for this is simple, to discredit my allegations and to prevent me from taking legal
action and to block access of due process against the private and public entities of the
County of Lancaster, and the Commonwealth of Pennsylvania. These attacks, harassment,
and intimidation began in June of 1987 and continue today. In the last several weeks, in the
matter of 4 days, I was detained and abused by Police in the middle of the night on 2 different
occasions. At 4:00 am one morning a person called 911 and reported that I had emailed a
message threatening to commit suicide, proven to be a lie. I had a Police Officer raised his
nightstick and threaten to hit me while he was in a violent rage, only to have another officer
take step in and disarm him. I have had the Police literally break into my home, because I
would not open the door, for fear of my safety after being abused the previous day. The
officer handcuffed me and shoved me around because I would not admit to wanting to kill
myself. In the last several weeks I have had no less than 6 persons attack my mental stability
and in an effort to break me emotionally. In 1987 I had made public allegations of fraud
against a Defense Contractor, International Signal& Control (I was a shareholder), after a
meeting in which they wanted me to finance some questionable activities. From that meeting
forward, these illicit and malicious acts have been occurring quite frequently. It cost me
money, financial opportunity, friends, time; and everything imaginable except my life. And
there was at least one attempt on that. In 1987 ISC was in the midst of a multi-million dollar
merger with the British Defense Contractor, Ferranti International. My allegations caused
grave consequences to that deal. Four years later executives of ISC were indicted for the
"largest fraud in U.S.
history" $1 Billion dollars, and for exporting arms to Iraq by way of South Africa. In 1987,
when I made these allegations, I was making the first digital movie, ironically, I received the
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original patent research materials days after that meeting with ISC, from a prominent patent
law firm in Philadelphia. I have been
arrested at least on 6 occasions, and the most outlandish, for stealing my own files from my
own office. I have spent 6 days in prison. I have been taken to the Hospital on 2 occasions,
and have been detained by police on several other occasions for persons making false claims
that I threatened to commit suicide. I have never been convicted of any crime, and all
charges are conveniently discharged before any court proceedings. All charges of suicide
have been proven to be false allegations and fraudulent false reports. In the last week, I had
obtained my medical records from the Regional Medical Center, while I was maliciously and
fraudulently admitted there after my arrest in 1987, and there are 3 reports from 3 different
psychiatrists which all reveal that there was never any attempt by anyone in the
Hospital administration or medical staff to validate any of my statements; which in and of
themselves were used to indict me and support the diagnosis of manic depression. Of,
course, all of my statements were true, which all are methodically proven in the following
supporting documents. I have had my airplane, loaded with all of my files, repossessed in the
middle of the night by the Common National Bank of Lancaster (Mellon), before any
payments were due. This happened immediately after my meeting with
International Signal & Control, in 1987. I was trying to find safe haven in Stone Harbor, New
Jersey, where we were making a movie. Tony Bongiovi, of Power Station Studio in New York,
had solicitedme to help him produce the 1st Digital Movie, again in 1987.I have been
precluded from any seeking any kind of remedy in the courts due to the sensitive nature and
involvement of National Security issues. It has been reported that the CIA and National
Security Agency were all involved in covert and possibly rogue activities with ISC and the
export of arms to Iraq (Cluster Bombs). This was one of the questions that Robert Gates had
to answer in his Confirmation Hearings for Director of the CIA in 1990 by the Chairman of the
Committee (I have the CNN video). There was also a "Presidential Finding" that was said to
be filed by then President George H. Bush regarding the same. The following are supporting
documents and complaints that I filed and are forwarding to you:
Police letter of Feb. 17, 2005
Police Complaint of Feb. 18, 2005
IFCC FBI Complaint of Feb 19, 2005
1998 Affidavit of 1987 Complaints I also have over 10,000 documents, several hours of taped
conversations and videos to support the above matter.
Thank You For Your Assistance In Advance.
Stan J. Caterbone
March 23, 2005
Email to Phillip Wenger
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President of Fulton Bank
Lancaster, PA
Phil:
For the Record1. The Project Hope Account; Project Hope was founded in 1996 with it's mission stated
in its non-profit organization charter to raise funds for the intention of contributing to
the education and awareness of mental illness and suicide prevention. Since it's
inception, I was the sole administrator of all monies that were dispersed and donated
to various local organizations to further that cause. These relationships included; The
Lancaster County Mental Health Alliance, The Schreiber Pediatric Center, Contact
Lancaster. I also was responsible for the local production of the video "Numbers Don't
Lie" (educational video for teenage suicide prevention) and distributing that video to a
host of local schools, churches, and faith based organizations. Since about 2001,
Project Hope has not made any contributions from it's account, while at the same
time continuing to raise funds from the annual golf tournament. In excess of $9,000
was accumulated. Every year I questioned Phil and Mike about the contributions and
what organization they were going to give the money to. In December of 2004, Lois
Gascho, Executive Director of Contact Lancaster, personally called me asking if we
could help her with some money. At that time, her affiliation with the League of
Churches had been terminated and Contact Lancaster was without funding, and the
24/7 Suicide Hotline for Lancaster was at risk of being shut down. I told her I would
contact my brothers and get her some help. There was an article in the Lancaster
Newspapers about the funding problems and I emailed Mike, Phil, and Jimmy
Karpathious the article and message that Lois called me asking for help. Nothing was
done. I kept trying to tell them that they were not operating the Project within IRS
guidlines, and their non-profit tax-exempt status was in jeopardy for not distributing
the monies accumulated, as required in the IRS regulations concerning the same.
When I was down at Mike's last month, I found the account statements for Project
Hope and being that I am a Signatory on the account, took the entire file with me and
started to disperse the monies. I made one check out to Lancaster Contact for $2500.
When I met with Lois Gascho of Contact Lancaster to give her the check, she wanted
to give me a tour of the facility where the suicide hotline operates. While visiting, she
was saying how difficult it is to find volunteers to staff the hotline. I suggested that I
could design systems, with technology, that could allow volunteers to staff the hotline
while working from home. This would help Contact Lancaster a great deal in
attracting more volunteers to help staff the hotline. Remember, the hotline is located
downtown, and volunteers must come and go during all hours of the night to staff the
hotline. I designed a conceptual system and called D&E Communications to provide
a proposal to provide the required software and telecommunications technology to
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build the system. I expect to receive that proposal on Friday. I will be making a legal
challenge to gain control of that account with the Internal Revenue Service and the
Tax-Exempt status of the Project.
2. Fulton Account When my Mom got sick while in Florida, it was determined, by her,
that she could not live alone anymore. Our house at 1250 Fremont Street was in dire
need of painting and other maintenance for sometime. I told my mother that I was
going to do these tasks now, incase we have to sell the house. They house is 2
stories, which is more difficult for my mother to live in. In January I decided that I
would make sure the house is ready to put on the market by springtime, and if we
decide not to have to sell the house, it would be already done and could be sold at
anytime without any repairs needed. At the same time, I setup the Fulton Account
with online banking so that I could manage my mothers bills, and pay them from
Lancaster without having her try to take care of this herself. My mother memory has
been a deteriorating problem since the fall of last year. To give you an example,
while in Florida last month, I was taking my mother out for breakfast, we were driving
around looking for a restaurant, and she looked at me in the car and asked if we had
eaten yet! She agreed that it would be best that I manage her bills, hence the Power
of Attorney for the Fulton Account and online banking. The $2,000 transfer was for
the renovations at 1250 Fremont that I am currently doing. I will now fund that project
myself, because I do not want to be bothered with this at a later time. So, there you
have the truth about the accounts. So be it.
May 2, 2005 Plaintiff files a complaint with Capital Blue Cross
May 2, 2005
Stan Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Capitol Blue Cross
Adult Basic Program
P.O. Box 777014
Harrisburg, PA 17177-7014
Re: Policy H200460959 & Policy Laps
As per my meeting in with your customer service representative on Friday, April 29th, at your
home office in Harrisburg, this is a letter of appeal for the lapsed policy and also a letter
containing the complaints concerning the charges from the Lancaster Regional Medical
Center and Dr. Laird, the attending emergency room physician, on February 19th, 2005, as
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per the request of the customer service representative.
1) As per the lapse in policy, I was told by Kay Richmond, of Cash Processing Services
(717-541-7262) on several phone calls that there was a 30 day grace period. She had
told me that although it is not stated, there is a 30 day grace period for your policy. I
had called because my mail has been tampered with, and I questioned the rule of no
grace period, and the policy being dependant on Blue Cross receiving my payments
via the mail. If this person who misrepresented herself to me as a representative of
your company was not who she said she was, this would certainly not be the first
time. Enclosed you will find a complaint that I filed with the Agent Shannon J.
Sarsfield, of the Pittsburg Regional Office of the PA Attorney General. In that
complaint I stated, My telephone has been used as a means of harassment and
intimidation, with my calls often being intercepted, misdirected, or impersonated.
See the enclosed copy of the complaint.
2) As per my reason to visit your home office on April 29th, to discuss the charges from
the emergency room visit on February 19th, I have enclosed all relevant documents
for your use in determining the validity of the charges from both Regional Medical
Hospital and the emergency room physician, Dr. Laird. Please direct any and all
communications to me at the above address or amgroup01@msn.com, or phone
717-380- 5903.
3)
Respectfully,
Stan J. Caterbone

June 2, 2005
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Commonwealth of Pennsylvania
Judicial Conduct Board
RE: Commonwealth of Pennsylvania v. Stanley J. Caterbone
District Court 02-2-06
Docket Number NT: 0000132-05
Commonwealth Court of Common Please
Appeal Docket No. CP-36-SA-00000141-2005
Explanation of Complaint
1. Previous to hearing, I entered the offices of the District Magistrate and requested a
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meeting with him to review the rules for procedure for his courtroom. He belligerently
yelled at me and told me that I will determine who is guilty in this case and threw me
out of his office. 2. I immediately contracted the Lancaster County Court Reporters
(LCCR)service to record the hearing.
2. I requested and paid a service fee to have 4 witnesses subpoenaed for my defense.
Prior to the start of the hearing, the District Magistrate never gave me an opportunity
to explain the reason for calling my witnesses, and collectively dismissed all of my
witness without an opportunity for me to explain how they were involved with this
case. During the brief discussion that was on the record, the District Magistrate
intimidated and threatened me with court sanctions when I tried to explain how the
witnesses did have personal knowledge regarding the case. Two of the witnesses
were officers of Lancaster County and were called by me to investigate a crime, in
which both refused.
3.
4. At the conclusion of the hearing the District Magistrate threatened me with offensive
language again with court sanctions for merely trying to understand why he was
violating the rules of conduct and the rules of procedure for the Commonwealth of
Pennsylvania.
5.
6. A few days after the conclusion of the hearing, I entered the offices of the District
Magistrate to pay for the fines and penalties sanctioned by the court. I first, asked
whether I would have to pay before I entered my appeal to the verdict. They refused
to provide any explanation, other than you will have to get an attorney, we cannot
answer that question. I immediately paid the fines knowing that I would appeal the
case.
7.
6. After receiving the transcript for the LCCR, I found a blatant lie in the transcript. When
asked whether a witness had personal knowledge about the case, the transcript reads NO.
Now before I subpoenaed my witnesses, I reviewed the rules of procedure and was
knowledgeable of the rules for personal knowledge of a witness, and would not have
answered no to that question because they did have personal knowledge.
7. The District Magistrate was intimidating me and obstructing justice by trying to deter me
from filing CIVIL ACTION NO. 05-2288 IN THE UNITED STATES COURT FOR THE
EASTERN DISTRICT OF PENNSYLVANIA, which I filed on May 16, 2005. The case was
filed with a Motion to Seal on the same day.
PRIVATE
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CRIMINAL COMPLAINT
Docket Number:
The acts committed by the accused were: (Set forth a summary of the facts sufficient to
advise the defendant of the nature of the offense charged. Activation to the statute allegedly
violated, without more, is not sufficient. In a summary case, you must cite the specific section
and subsection of the statute ordinance allegedly violated.
)
3. Defendant did knowingly and willingly block plaintiffs access to the door to exit store
in an attempt to intimidate and harass, and after plaintiff tried to avoid the defendant
and exit the doorway, defendant did engage in an illegal sexual act by grabbing and
squeezing the defendants buttocks with an inappropriate gesture with the defendants
finger while squeezing. This lude act was in the strictest violation of Pennsylvania
statutes concerning sexual harassment. Witnesses were present both behind the
checkout counter and waiting in line at the checkout counter. Plaintiff requests the
Commonwealth of Pennsylvania to prosecute the defendant to the fullest extent of
the law. All of which were against the peace and dignity of the Commonwealth of
Pennsylvania and contrary to the Act of Assembly, or in violation of and (Subsection)
(Section) of the (PA Statute) I ask that process be issued and that the defendant be
required to answer the charges I have made.
4.
3.
I verify that the facts set forth in this complaint are true and correct to the best of my
knowledge or information and belief. This verification is made subject to the penalties of
Section 4904 of the Crimes Code (18 Pa.C.S. 4904)relating to unsworn falsification to
authorities.
4.
June 11, 2005
Defendant did knowingly and willingly block plaintiffs access to the door to exit store in an
attempt to intimidate and harrass, and after plaintiff tried to avoid the defendant andexit the
doorway, defendant did engage in an illegal sexual act by grabbing and squeezing the
defendants buttocks with an inappropriate gesture with the defendants finger while squeezing.
This lude act was in the strictest violation of Pennsylvania statutes concerning sexual
harassment. Witnesses were present both behind the check*out counter and waiting in line at
the checkout counter. Plaintiff requests the Commonwealth of Pennsylvania to prosecute the
defendant to the fullest extent of the law. Verify that the facts set forth in this complaint are
true and correct to the Recent Police Reports & Status of Ongoing Investigations
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1. Break-In reported on June 12, 2005: As reported to the officer, Adams? who came
to take my report, I left my home at approximately 2:30pm, with all doors locked. At
approximately 9:15pm, I entered through my garage door and found my back door
wide open. I also reported a Honda file missing, which I have since located.
2.
3. I am requesting the status of the complaint that I reported to Officer Berger on June
10 concerning the sexual harassment by Mr. Thomas Grasssel on the same date.
4.
3. During my visit by the officer on June 12, I again asked if anyone in the department had
questioned Mr. David Pflumm regarding access to my home. As I have stated in just about
every complaint about a break-in over the past six months, On Thanksgiving day, 2004, Mr.
David Pflumm, his son Keagen, and daughter Lizzy, approached my home. I wanted NO
personal contact with them, and made sure my doors were closed and locked. After several
minutes of knocking on my back door, I went down to the basement hoping they would leave.
They instead went to my front door and basement door and kept knocking. I was located in
the rear of my basement, waiting for them to leave. Suddenly, Lizzy and Keagan appeared in
my basement asking why I did not answer the door. I quickly asked them how they got into
my house. First they said the door was opened, then they said Keagan used a credit card to
open my back door. They said Dave was upstairs in my kitchen. We walked upstairs and I
quickly asked Dave how they got into my house, he responded We have lots of keys. Now
with all of the reports of people breaking into my house, and the fact that I first reported the
above event to Officer Berger in December with the report of my missing remote control, I will
again ask you why your department refused to question the Pflumms regarding keys to my
house?
4. During my interview last evening I showed the officer the letter from Mr. David Pflumm
dated June 2, 2005, which was served to me by a Pennsylvania Constable from District
Justice Leo Eckerts office at approximately 9:30 am on June 10th on Stone Hill road infront of
my mailbox. The officer said we have a copy of that letter, and are aware of that. I
requested the officer to take the letter and my response,
sent via facsimile to Pflumm Contractors on June 10th, to you. The officer refused to take the
letter. I asked him to take my statement regarding the same, and he refused. I asked him why
he would not take my statement, if you have a copy of the complaint from Mr. David
Pflumm? He said I am going home. I called him corrupt and said that the whole department
was corrupt. I attest to the above statements as the truth and request a copy of all of my
complaints, reports, and calls to your department, as defined and authorized under the
Freedom Of Information Act, and according to the laws governing the same by the
Commonwealth of Pennsylvania and the federal rules governing the same.
Attest,
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Stanley J. Caterbone
Friday, July 1, 2005 12:00 PM - 1:00 PM: Stan Caterbone files for Chapter 11 Bankruptcy
Protection in the U.S.Eastern District Bankruptcy Court in Reading, PA at the Clerk of Courts,
pays fee 255.00.

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7. HAVE YOU FILED A COMPLAINT ABOUT THIS MATTER WITH ANY OTHER AGENCY?
YES NO
IF SO, PLEASE SPECIFY WHICH ONE(S) AND THE DATE YOU FILED, TO THE BEST OF
YOUR RECOLLECTION.
8. HAVE YOU FILED ANY COURT ACTIONS IN THIS MATTER? YES NO
IF SO, PLEASE SPECIFY IN WHAT COURT AND THE DATE YOU FILED, TO THE BEST
OF YOUR RECOLLECTION.

9. IF YOU ARE REPRESENTED BY AN ATTORNEY, PLEASE PROVIDE YOUR


ATTORNEYS NAME, ADDRESS AND PHONE NUMBER:
10. WHAT DO YOU WANT TO SEE HAPPEN AS A RESULT OF YOUR COMPLAINT?
11. PLEASE EXPLAIN YOUR COMPLAINT INCLUDING THE DETAILS SUCH AS DATE,
TIME AND LOCATION. YOU MAY USE ADDITIONAL SHEETS IF NECESSARY.
PLEASE WRITE OR TYPE CLEARLY AND DESCRIBE THE EVENTS IN THE ORDER IN
WHICH THEY HAPPENED.
IF YOUR COMPLAINT IS BASED ON RACE, INCLUDE THE RACE OF ALL PERSONS
MENTIONED (INCLUDING YOURSELF).
IF IT IS A GENDER COMPLAINT, SUPPLY THE GENDER OF ALL PERSONS
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MENTIONED, ETC.
IF THERE ARE OTHER FACTS YOU FEEL SHOULD BE CONSIDERED, RECORD THEM
ON AN ADDITIONAL SHEET OF PAPER AND INCLUDE THEM WITH THIS COMPLAINT
FORM.

I HEREBY VERIFY THAT THE STATEMENTS CONTAINED IN THIS COMPLAINT ARE


TRUE AND CORRECT TO THE BEST OF MY KNOWLEDGE, INFORMATION AND
BELIEF. I UNDERSTAND THAT FALSE STATEMENTS HERIN ARE MADE SUBJECT TO
THE PENALTIES OF 18 Pa.C.S. 4904, RELATING TO UNSWORN FALSIFICATION TO
AUTHORITIES.

___________________________________
______________________
YOUR SIGNATURE

DATE

PLEASE NOTE: YOU MAY NEED TO CONTACT A LAWYER SINCE THE ATTORNEY
GENERAL CANNOT ACT AS YOUR PRIVATE LAWYER.
As a law enforcement agency, the primary function of the Attorney General is to represent the
public at large by enforcing laws prohibiting acts of discrimination where there is a pattern or
practice of unlawful activity. Your complaint does remain on file with our office and the
Information contained in it may be used to establish future violations of Pennsylvania law or
other issues of general public importance.

REVISED JANUARY 2005

June 26, 2006


Monday
9:00 AM - 9:30 AM

Done Eckert Payment due $25.00 Conestoga speeding & inspection citations

COMMONWEALTH OF PENPJSYLVANIA
COUNTY OF: W T t l s C
MPO Ma. NR:
02-2-06
mknec Wm.
w HI -T, JP
841 0- EUAD
H X ~PA ~ ,
ORDER IMPOSING SENTENCE
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDAM: NAME%-~AWRESS
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ST- J.
220 BTmm HILL POlrD -, PA 17516
-YOU fHA* ,you*
rice pummm Pa,
you to the following:
i
Sentenced to Fines, Costs, a& Restitution
You are hereby order8cl to make payment to thib court on
You are Mnby ordered to make an init'ilgyment to this court h the
amount oi $ - on-Refer to the Magisterial DWkt Judge Payment Order for additional payment
&dub information. You are hereby ordered to make an initial payment of $
due on or before + Thereafter. a minimum payment of $
shall be made to this court with a final payment on
Refer to the Magisterial District Judge Payment Order for additional payment schedule
information.
Alternate Sentendlntemediate Puni-s hment 4 * + : *,--.---- .----.:
to commence on and conelude on
Sentenced to Imprisonment
A jail sentence of in the . You must
appear for the execution of your jail sentence on
(If you file an appeal, Ute execution of jail sentence will be stayed pendhrg the outcome of
your appeal, and the issuing authority may set bail or
collateral. Refer to the Or&r to Amear for Jail Sentence for further information.)
YOU have the right to appeal to the Court
of Common Pleas w your appeal may be
If you have any questions. please call
k/nOlnl~ Date
My commission expires first M
Beard by H.D, Judge Stuart J. qlin
MTI PIUFZHlt 6/09/06 12t48i00 PY
AOPC A581 -05
___________________________________________________________________________
____________________
ORDER IMPOSING SENTENCE
m m m m m and corlekr~lea n
COMMONWEALTH OF PENNSYLVANIA
C0UM-Y OF; NCIISTEEt
Sentenced to Imprisonment
AW m m e of in the . Youmust
appear for Ib execution of your jail semnc$ on
(If you fife an rrppeal, the execution of jall sent- will be stayed pending the outcome of your
appeal. and the issuing authority may set ball or
cdlateral. Refer to the Order to Appear for Jall Wttema for further informatbn.)
Il(epmsLm.
02-2-06
mmlla Hon.
Z90 E m Z U E E T p JR
AW"" 941 g;lJRBWU pCun
, P1
T- (717) 872-4361 11551-9753
YachavetherigMloappaltotheCourt 30 days for a trial cle m. novo in lhe Court
odCommon P W or your appeal may be
R you Have any auegblons, p bcall this
Date
My commission expires first
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MTZ -a 6/09/06 1214St43 PY
AOPC AS81-05
COMMONWEALlll OF
PENNSYLVANIA
vs.
DEFENDANT: MWmkA8 aT- J.
220 STOmTE tMlrn
- T W 8 311, 17516
L
4 Sentenced to Ftes, Costs, and Restiion
You am hemby ordered to make an initial payment to this wrt In the
atnoWaf$ on
You are hereby ordered to make an h ipa yment of $ . . ;trdueonarWim
. llmafber, a minimum payment of $
shell be made to thk cbun ~afbralpeymenton
Refer tw the MagisbrM DWkt Judge Payment Order for additional payment schedule
information.
A h a t e Sentence/lntemediate Punishment
--- - - - - - . - -5 fi - --- w@-f=

June 27, 2006


Tuesday
9:30 AM - 10:00 AM

MDJ Ballentine Request for Proposal

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF LANCASTER
REQUEST FOR SUBPOENA
Magisterial District Justice No.: 0 2 - 2 - 0 1
Kelly S. Ballentine, Esq
123 Locust St-Rear
Lancaster, Pa
717-299-7974
717-299-8375 Fax
Request For Subpoena
Caterbone, Stanley, J.
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184
Vs.
Defendant:
Comcast Cable
1113 South Duke St
Lancaster, Pa 17602
Date Filed: 06/27/2006
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Re: Stanley J. Caterbone
Vs: Comcast Cable And Susan Gibson
Docket No. Cv-160-06
Subpoena Name And Address: Mabel Cob
Bankruptcy Department
New Castle Call Center
4008 North DuPont Hwy
New Castle, De 19720
302-661-8228

IN FORMA PAUPERIS

1. I am the plaintiff in the above matter and because of my financial condition am unable to
pay the fees and costs of prosecuting or defending the action or proceeding.
2. I am unable to obtain funds from anyone, including my family and associates, to pay the
costs Litigation.
3. 1 represent that the information below relating to my ability to pay the fees and costs is true
and correct:
(a) Name: Stanley J. Caterbone
Address: 220 Stone Hill Road
Social Security Number: 200-46-0959
(b) Employment
Employer:
Address:

If you are presently employed, state


Advanced Media Group
220 Stone Hill Road, Conestoga, PA 17516

Salary or wages per month: $0.00 Currently in Litigation See Notes


Type of work:
If you are presently unemployed. state
Date of last employment:
(c) Other income within the past twelve months Relationship:
Business or profession: Advanced Media Group has no income at this time
See Bankruptcy Petition 05-23059, U.S. District Court For The
Eastern District of Pennsylvania Civil Actions 05-2288 and
06-1538
Other self-employment:
Interest:
Dividends:
Pensions and Annuities:
Social Security benefits:
Support payments:
Disability payments:
Unemployment compensation and supplemental
benefits:
Workman's compensation:
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Public assistance:
Other:
(d) Other Contributions to household support
(Wife)(Husband) Name: ______________________
If your (wife)(husband) is employed, state
Employer:
Salary or wages per month:
Type of work:
Contributions from children:
Contributions from parents:
Othcr contributions:
(e)- Property owned:
Cash: $42.00
Checking Account: $165.00
Savings Account:
Certificate of Deposit
Real estate (including home): $195,000.000
Motor vehicle
Make : Dodge Pick Up , Year 1991
-,
Cost . - $2700.00
Amount Owed $ 0.00
Make : Honda Odyssey , Year 2005
-,
Leased
Cost . - $27,000.00
Amount Owed $ 29,000
Stocks; bonds: 9996,000 shares Advanced Media Group Non Marketable Securities. These
shares are subject to litigation in the United States District Court for the Eastern District of
Pennsylvania Civil Action 05-2288, there is no tangible value to the Plaintiff until this case is
completely adjucated
Other:
(f) Debts and obligations
Mortgage: $89,000
Rent:
Loans: Credit Cards - $40,000 Yolanda Caterbone - $30,000
Other: $5,000.00 current accounts payable
(g) Persons dependent upon you for support
(Wife)(Husband) Name:
Children, if any:
Name:
Age: . .
Date of last employment:
Salary or wages per month: Other persons:
Type of work: Name:

4. I understand that I have a continuing obligation to inform the court of improvement in my


financial circumstances, which would permit me to pay the costs incurred herein.
5. I verify that the statements made in this affidavit are true and correct. I understand that
false statements herein are made subject to the penalties of 18 Pa:C.S. , relating to unsworn
falsification to authorities.
Date: ________________________

______________________________
Petitioner

(i) The Praecipe required by subdivision (d) shall be substantially in the following form:
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PRAECIPE TO PROCEED IN FORMA PAUPERIS

To the Prothonotary:
Kindly allow ,

(Plaintiff) (Defendant), to proceed in forma pauperis.

1, ________________attorney for the party proceeding in forma pauperis, certify that I


believe the party is unable to pay the costs and that I am providing free legal service to the
party.
(j) If, simultaneous with the commencement of an action or proceeding or the taking of an
appeal, a party has filed a petition for leave to proceed in forma pauperis, the court prior to
acting upon the petition may dismiss the action, proceeding or appeal if the allegations of
poverty is untrue or if it is satisfied that the action proceeding or appeal is frivolous.

_____________________________
Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184

10:00 AM - 10:30 AM

PA Civil Rights Nelson Brewster Atty Investigator

Civil Rights Enforcement


15th Floor, Strawberry Square
Harrisburg, PA 17120
(717) 787-0822
Fax: (717) 787-1190
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2. IF EMPLOYMENT RELATED, WHOM IN MANAGEMENT HAVE YOU INFORMED OF YOUR


COMPLAINT?
WHAT ACTION WAS TAKEN?
3. DO YOU KNOW OF ANY OTHER INDIVIDUAL(S) WHO HAVE BEEN TREATED THE SAME OR
RECEIVED SIMILAR TREATMENT? No
WHAT HAPPENED TO THESE INDIVIDUALS?
4. DO YOU HAVE ANY WITNESSES TO VERIFY OR CONFIRM YOUR COMPLAINT? Yes
5. DID YOU SUFFER ANY MONETARY LOSS OR LOSS OF BENEFITS? PLEASE EXPLAIN. Yes
6. PROVIDE THE DATE(S) OF INCIDENT(S):
July 2, 1987 - In an effort to continue all efforts and business activities, Stan Caterbone visits the Office
Works, owned and operated by High Industries, to purchase a printer while staying in Stone Harbor.
FMG, Ltd., had an open account, which Stan Caterbone authorized, as an officer of FMG, Ltd.,. The
Office Works demands cash payment and refuses to put the purchase on credit.
July 6, 1987 - In an effort to document the conspiracy theory, Stan Caterbone requests Tom Caterbone
to call Robert Kauffman to inquire about the status of his affairs, and to tape the conversation. Tom
Caterbone identifies himself as John Green, a client of Stan Caterbone's and Robert Kauffman states
the following: "Stan Caterbone has moved his office to Stone Harbor, NJ.. he is not taking care of
business, and I need to see to it that his clients are taken care of for the time being.. he has been
spending a lot of money, an airplane, a place at the shore, and he seems to think that he is too
important for his traditional clientele.. There is some history of mental disorders in his family history.. I
can't come right out and say that that is what's going on, .. I wish Stan would get some professional
help.. However for the time being, Stan is not taking care of business, and I need to be concerned for
his clients.
July 6, 1987 - Stan Caterbone telephones Dr. Al Schulz, psychiatrist at St. Joseph Hospital, and client
of Stan Caterbone's in order to thwart the allegations of insanity. Dr. Al Shulz had disclosed that
several persons, including Mary Lynn Dipaolo and Jere Sullivan had called him concerning Stan
Caterbone's behavior and activities. From the allegations, Dr. Shulz advised that Stan Caterbone was
suffering from illusions of grandeur, and prescribed Lithium treatment, and to return to Lancaster for
consultation. Stan Caterbone insisted that the allegations were purely fabricated, and that no one had
any legal right to interfere with his business and or legal affairs, let alone his confidential medical
records.
July 6, 1987 - Stan Caterbone contacts David Drubner, of Boston, Ma, a friend of Stan Caterbone's
brothers Mike, and an attorney. During the conversation, David Drubner questions Stan Caterbone
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about "taking some medication", and supports the allegations of insanity.
July 6, 1987 - In the following days, Stan Caterbone had made numerous telephone calls to local,
state, and federal authorities, for intervention and help regarding all of the preceding events and
circumstances. The following is a brief description of each: Manheim Township Police Department,
responded "what bank branch repossessed your aircraft"; Pennsylvania State Senator Gib Armstrong,
responded, "I will call the Pa Attorney General's Office and have them call you; the Federal Bureau of
Investigation (FBI), the Philadelphia-based field office; U.S. Representative Robert Walker (RPa), a
detailed and explicit conversation with Mrs. Robert Walker, who would only advise Stan Caterbone to
put his situation in writing and submit it to the Congressman in his Washington, D. C. office. In
addition: David Wouls (Executive Vice President of the Lancaster chamber of Commerce & Industry),
Stan Caterbone talked at length, and in detail, making allegations of misconduct with members of the
same; National Association of securities Dealers (NASD), in Washington, D.C., Stan Caterbone
discussed the securities related violations. And also: the Securities & Exchange Commission (SEC),
also in Washington, D.C., and discussed securities laws violations; the Pennsylvania Securities
Commission, of Harrisburg, Pa, discussed the implications of Stan Caterbone's illegal lockout, and his
legal and formal positions, including incorporating officer of FMG, Ltd., Stan Caterbone received no
support or follow-up communications concerning all of the above requests, despite his apparent
emotional duress, and extreme situation.
July 8, 1987 - A formal notification of the termination of Stan Caterbone's Registered Representative
Securities license with the Planners Securities Group Inc., of Atlanta, GA is received, with a "cc: Robert
Kauffman".
July 8, 1987 - Stan Caterbone's brothers, Steve, Phil, Mike, and Tom, arrive unexpectedly and
uninvited at the residence of Stan Caterbone's in Stone Harbor, NJ, and refuse to leave until Stan
Caterbone agrees to take Lithium and return to Lancaster to undergo treatment by Dr. Al Schulz, for
mental illness.
July 16, 1987 - Stan Caterbone travels to New York, from Boston, MA, to visit with Bob Walters of
Power Station Studios, to discuss the allegations of Blackmail, and to find out who is involved,
including Scott Robertson and Power Station Studios. Stan Caterbone discusses the illegal
repossession and other related matters, however during the conversation, becomes suspicious when
Bob Walters and Tony Bongiovi disclose that the "Digital" Movie project is suddenly suspended until a
later time.
July 17, 1987 - Stan Caterbone travels to Hollywood, California to meet and visit with Ted Gamillion
and Gamillion Studios (Film Studio), and Marcia Silen of Flatbush Films. Ted Gamillion had previously
solicited the consulting of Stan Caterbone in order to help reorganize the financing of the film studio,
after earlier arrangements in North Carolina had gone sour. Stan Caterbone had spent several days
visiting and touring the studio. Ted Gamillion agreed to allow Stan Caterbone to represent the studio in
order to secure the required financing. Ted Gamillion provided Stan Caterbone with substantial
amounts of confidential financial, legal, and tax documents for the project. During the visit, Marcia
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Silen had disclosed to Stan Caterbone that Scott Robertson had made allegations of insanity about him
(Stan Caterbone) to persons at Power Station Studios and at Flatbush Films.
July 24, 1987 - Michael M. Hartlett sends a letter to all creditors of FMG, Ltd., informing them that
stated the following: Stan Caterbone is no longer an officer of the corporation; he was removed from
office on July 1, 1987; he had been purchasing items under FMG, Ltd., and obtaining corporate
discount and rates; and formally notifying
them that Stan Caterbone had never had the right to purchase items through FMG, Ltd., or make
corporate commitments on behalf of FMG, Ltd., or contract or in any way obligate FMG, Ltd.,.
July 30, 1987 - Stan Caterbone had paid $600 to Dr. Levine, a Psychiatrist from North field, New
Jersey, for an objective evaluation of his mental state of mind, in order to prove the fabricated
allegations of 'insanity". Dr. Levine had conducted a 2 hour meeting in his residence in Stone Harbor,
NJ, and required Stan Caterbone complete the Minneapolis Multiphase Personality Inventory (MMPI).
Stan Caterbone completed the test, immediately returned it to Dr. Levine. After several weeks without
any communications from Dr. Levine, Stan Caterbone had called for the results. Dr. Levine had
explained that he had conducted telephone interviews with members of Stan Caterbone's without notice
or consent, in addition to the original request of Stan Caterbone to conduct an objective and
confidential examination. In addition, Dr. Levine prescribed Lithium drug therapy, and disclosed a
diagnosis of Bi-Polar Mood Disorder.
August 6, 1987 - The legal firm of Appel, Yost & Sorentino, of Lancaster, Pa., send a formal notice to
Stan Caterbone, demanding the return of a facsimile machine leased from the ACM company of
Lancaster, Pa. Attorney Appel advises Stan Caterbone that it is the property of FMG, Ltd., and should
be returned at once or legal action will follow.
August 8, 1987 - John M. Wolf, Executive Vice President of Commonwealth National Bank sends Stan
Caterbone a formal letter advising that the repossession of July 2, 1987 was both lawful and
appropriate, and declines to accept a settlement of $5 million for lender liability violations.
August 10, 1987 - Stan Caterbone receives a facsimile from the Board of Directors of FMG, Ltd.,
signed by Robert Long threatening to file criminal charges for "embezzlement (we have checks to prove
it), burglary, employee theft, corporate opportunity and slander against our firm".
August 12, 1987 - Yolanda Caterbone, mother of Stan Caterbone, Steve, Phil, Mike, and Tom
Caterbone, all brothers, arrive unexpectedly and uninvited to the residence of Stan Caterbone in Stone
Harbor. After several requests for the visitors to leave the premises are denied, several brothers refuse
to let Stan Caterbone leave the premises. Stan Caterbone flees, and the brothers chase after him. Stan
Caterbone runs into a neighbors house to ask to use the telephone to phone the police. However, after
realizing that he is scaring the occupants, he flees to the Stone Harbor Police Department, a few blocks
away, in an effort to obtain a restraining order and to lawfully have the unwanted persons vacate his
residence and personal property. Officer Steve Conners and Officer Henry Stanford refuse the request,
and hold Stan Caterbone in custody. After some 30 minutes, the officers, accompanied by Steve and
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Tom Caterbone, place Stan Caterbone into a Police Cruiser and proceed to the Burdette Tomlin
Hospital, in Stone Harbor. Upon arriving, Stan Caterbone is interrogated and questioned extensively
about a "gun". A hospital staffer then accuses Stan Caterbone of an attempted suicide and keeps him
in custody for 4 or more hours. Another hospital staffer performs an extensive mental health
evaluation. Stan Caterbone is given an ultimatum of signing a contract in order to be released form the
hospital, the contract stated: "I Stanley J. Caterbone will not take my life tonight or at anytime".
August 14, 1987 - The same family members again arrive unwanted at the residence of Stan
Caterbone in Stone Harbor, NJ. After another confrontation, similar to the incident of two evenings
before, Stan Caterbone fleas to the Avalon Police Department for another attempt to get a restraining
order. However, en route, just a few blocks from the Avalon Police Station, an Avalon Police cruiser
pulls Stan Caterbone over and arrests him for the following violations:
1. Driving Beyond the speed limit.
2. Driving an unregistered vehicle (all required registration materials were in Lancaster, PA)
3. Containing an empty beer can in his vehicle (which was at .1 east three days old)
In addition, the Avalon Police Department repossessed his car and locked it in the Avalon Police
Department Compound, which was his only means of transportation and communication by car phone.
August 24, 1987 - Robert Kauffman sends a letter to Millard Johnson, Stan Caterbone's client,
regarding his previous intentions of paying the $25,000 demand note of Stan Caterbone to Millard
Johnson. Robert Kauffman had previously promised to pay the debt to Millard Johnson during a
meeting. Robert Kauffman, told Millard Johnson to contact the FMG, LTD., attorney, Craig Russell in
order to file legal claim, and formally disclosed that he would: no longer handle any discussions
concerning Stanley J. Caterbone. In the last paragraph, Robert Kauffman discloses that "attorney Mr.
Patterson, no longer represents the Caterbone family regarding his pending bankruptcy or
guardianship". Notes: Stan Caterbone never gave any legal jurisdiction or rights to any family member,
has never filed for bankruptcy, was not bankrupt, or even knew of an attorney named Mr. Patterson.
September 3, 1987 - Robert Kauffman calls detective Larry Sigler or the Manheim Township Police
Department to report an alleged Terroristic threat made two days prior, on September 1, 1987, by Stan
Caterbone between the hours of 9:00 and 1 pm noontime. Detective Larry Sigler issues a warrant for
the arrest of Stan Caterbone with District Justice Murray Horton that was issued at about the same
time as the arrival of Stan Caterbone at Romar Aviation. At approximately 3:00 pm Mary Lynn Dipaolo
picks Stan Caterbone up at Romar Aviation for a scheduled visit and dinner. After Stan Caterbone
becomes annoyed at Mary Lynn Dipaolo's unjustified allegations, Stan Caterbone borrows her car to go
home to his residence in Conestoga and to go play basketball. At approximately 7:00 pm, upon leaving
the playground, he is approached by Nancy Arment, FMG, Ltd., secretary, who is elaborated and
crying, asking "why are you doing this?". At approximately 9:00 pm, in an attempt to recover additional
stolen personal and business tiles, Stan Caterbone proceeds to the offices of FMG, Ltd., where he is
greeted by employee Stacy Waters and allowed to enter the building. Stan Caterbone insists that Stacy
Walters accompany him throughout the building as he recovers files in the offices of Robert Kauffman,
Michael Bartlett, and Robert Long. In addition retrieving a Back-Up (FMG, Ltd, records and
communications) copy of the computer system which he integrated. Upon leaving, Stan Caterbone
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temporarily disconnect the systems which he had integrated and developed for FMG, Ltd., which fall
under intellectual property rights. Stacy Walters assists Stan Caterbone in loading the tiles in his
automobile, and Stan Caterbone kisses Stacy Walters goodbye, and awaits for her safe return to the
building until leaving. Upon entering his residence later that night, Stan Caterbone is taken into custody
by the Conestoga Police, and requests that the files that he had taken out of the offices of FMG, Ltd.,
be taken along to prove his rights to the property, and his position within the company. Stan Caterbone
was then taken to the jurisdiction of Manheim Township Police, where he is arrested and taken into
custody.
September 4, 1987 - At approximately 2:00 am, Stan Caterbone is arraigned before District Justice
Richard R. Reeser for the following charges: Terroristic threats; burglary; unlawful restraint; unlawful
use of computers; theft by unlawful taking; robbery; and criminal mischief. Bail is set at $20,000 and
Stan Caterbone is placed in The Lancaster county prison. He was not permitted to post real estate for
bail.
September 5, 1987 - The Lancaster New Era and the Lancaster Intelligencer Journal report the alleged
crimes, reporting that Stan Caterbone is an ax-employee; that FMG, Ltd., sustained $60,000 because
of his actions; and that he threatened 2 female employees. The entire arrests and reports fail to
acknowledge that Stan Caterbone is an individual lessee of the property, and in accordance with law,
still holds all of his offices of PING, Ltd., and is the founder of the company. The above incident further
facilitates the ongoing conspiracy, and publicly discredits Stan Caterbone in every way, financially,
professionally, and most importantly conveniently supports the continued allegations of insanity.
September 9, 1987 - Stan Caterbone is given an ultimatum by the Lancaster county prison authorities,
Robert Bayer, Yolanda Caterbone, and Mary Lynn Dipaolo of posting the required bail only if Stan
Caterbone voluntarily admits himself into the Psychiatric Unit of St. Joseph Hospital, or remain in the
Lancaster County prison. Stan Caterbone is released from Lancaster County prison, and immediately
escorted to St. Joseph Hospital and admitted into the Psychiatric Unit.
September 15, 1987 - Stan Caterbone questions the legality of the ultimatum for posting tail, and upon
learning that it is unlawful, arranges for his discharge - Upon his discharge, the St. Joseph Hospital
administrators learn that FMG, Ltd., had terminated his health insurance, and demand payment of $3,
064.60 for the six days of hospitalization. Stan Caterbone is not able to pay, and leaves the hospital
and returns to his residence of Conestoga, PA.
September 15, 1987 - Stan Caterbone receives an invoice from St. Joseph Hospital for $3,064.00.
September 16, 1987 - Stan Caterbone receives a call from Howard Eisler, an Investigator for the
Pennsylvania Securities Commission who requests a meeting with Stan Caterbone. A meeting is
scheduled for September 29, and Stan Caterbone arranges for Robert Beyer and Millard Johnson to
attend.
September 21, 1987 -ISC and the British Ferranti firm agree in principal to merge, creating what
appeared to be a $1.5 billion defense/electronics conglomerate, after six months of negotiations.
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September 29, 1987 - Howard Eisler conducts a meeting at the Residence of Stan Caterbone, with all
parties consenting to have the meeting recorded by Stan Caterbone. Howard Eisler was not able to
provide a believable explanation of what he was investigating or why he had contacted Stan Caterbone.
Stan Caterbone explains all of the circumstances regarding his prior meeting with ISC/Chem Con
executive Larry Resch, and details his allegations of wrongdoing of James Guerin/ISC/Chem Con6 and
the discussions of that meeting on June 23, 1987, with ISC executive Larry Resch. Stan Caterbone
also discloses his ISC stock holdings, and his relationships with ISC and Chem Con associates.
Millard Johnson testifies to Howard Eisler during the meeting regarding a previous meeting in August
with Robert Kauffman, where Robert Kauffman tried to persuade Millard Johnson to fabricate a story
that a legitimate personal loan of $25,000 to Stan Caterbone in June of 1987, was instead intended for
investment and embezzled by Stan Caterbone. Robert Kauffman wanted Millard Johnson to support
this story to authorities. Stan Caterbone spent more than 4 hours explaining and detailing all of his
allegations and business activities including how he founded and built Financial Management Group,
Ltd.,; his mortgage banking activities; the illegal repossession of his aircraft; all of the fabricated
arrests; and the chronology of events after the June 23 meeting with ISC executive Larry Resch.
Howard Eisler ended the meeting and requested copies of documents from Stan Caterbone.
October 2, 1987 - District Justice Murray Horton conducts a preliminary hearing for all criminal charges
against Stan Caterbone. Attorney Robert Beyer refuses to discuss any issues regarding his individual
lease of the FMG, Ltd., offices, or any issues resulting in the illegal activities of anyone other than Stan
Caterbone District Justice Murray Horton orders Stan Caterbone to defend all of the criminal charges in
the next term of criminal court in Lancaster County. Stan Caterbone ordered to be bound over for the
next term of criminal court of Lancaster County.
October 18, 1987 - The Unemployment Compensation Review Board formally and officially decides
against a claim for benefits by Stan Caterbone and cites misconduct and wrongdoing as the reasons.
October 27, 1987 - Lancaster Aviation files a civil suit with District Justice Murray Horton for alleged
unpaid bills of some $5,000.
November 9, 1987 - Stan Caterbone visits with Parent Federal Savings and Loan's president, John
Depatto, to discuss him problems in meeting his current mortgage payments. John Depatto
immediately disclosed to Stan Caterbone that foreclosure proceedings have officially begun, and that
the full loan of approximately $110,000 is immediately due. Stan Caterbone stands up from the
conference table and declares, "You tell Mr. James Guerin he is in trouble", and abruptly walks out of
the offices.
November 23, 1987- A Referees Decision by the unemployment Compensation Review Board upholds
a recent decision to deny Stan Caterbone from collecting any benefits, again citing misconduct and
wrongdoing. Stan Caterbone calls Howard Fisler, of the Pennsylvania Securities Commission and
demands an explanation for not returning to obtain any documents as promised in the meeting of
September 29th. The phone call was recorded.
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November 25, 1987 - Stan Caterbone receives a letter from the Pennsylvania Securities Commission,
Howard Zisler, citing a misunderstanding and lack of communication, and now requests that Stan
Caterbone submit a written complaint of all allegations discussed in the meeting of September 29,
1987.
November 26, 1987 - Stan Caterbone visits the Pennsylvania State Police barracks in Lancaster, to file
a formal complaint to the White Collar Crime Division. Stan Caterbone was treated as if he was making
the entire story up, and received no help.
December 4, 1987 - Financial Management Group, Ltd., holds its first annual shareholders meeting, for
the year ended June 30, 1987, at the Treadway Resort Inn. In an effort to promote propaganda against
Stan Caterbone, and to support the fabricated allegations of insanity, FMG, Ltd., president hired armed
security personnel to guard the doorways of the meeting, insinuating that the meeting was under a
threat of violence, and to collaborate his recent allegations of Terroristic threats, which Stan Caterbone
was previously arrested and awaiting trial.
December 17, 1987 - The United States Postal Inspector acknowledges receipt of formal complaint
from Stan Caterbone regarding executives from FMG, Ltd., illegally changing or address; opening of
confidential personal and business mail; and withholding and possibly destroying confidential personal
and business mail at Stan Caterbone's leased property of 1755 Oregon Pike, Lancaster, PA, also the
headquarters of FMG, Ltd.,.
January 26, 1988 - The Pennsylvania Homeowners Emergency Mortgage Assistance Program formally
and officially denies Stan Caterbone of benefits citing the following: " Applicant was terminated from
job FMG, Ltd.,), therefore was not suffering from circumstances beyond his control".
March 14, 1988 - Stan Caterbone is served notice by Lancaster Constables regarding Parent
Federal .Guerin' Bank) v. Stan Caterbone Mortgage Foreclosure of his residence at 2323 New Danville
Pike, Conestoga, PA.
May 1988 - Stan Caterbone is forced to sell his residence, and subdues to the undo influence that he
was responsible for all circumstances, and moves to Florida with his brother.
Sep 15, 1988 - Seven Chem-Con executives, including Christian, are criminally indicted for the firms
$15 million defense contracting fraud.
October 23, 1988 -Stan Caterbone, destitute, without a personal residence, automobile, or any income,
and with accumulated debts of more than $65,000 from all related incidents in the 1987 "Blackmail",
sells his FMG, Ltd., holdings to Robert Kauffman and is given $72,000 in proceeds at settlement. This
by and of itself will be proven to be extortion. Robert Kauffman was in fear of Stan Caterbone
exercising his large voting rights in the upcoming FMG, Ltd., annual shareholders meeting, which
included the election off FMG, Ltd., Board of Directors. Stan Caterbone had approximately 19% of the
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outstanding shares of FMG, Ltd., and had the potential to vote someone of his selection to a Board
seat. Scott Robertson had solicited the deal for both parties, and acted as negotiator for both.
July 19, 1989 - Stan Caterbone, Scott Robertson, and American Helix agree on a one year employment
contract, which American Helix will never fulfill in its entirety, and will be terminated in the following
April.
April 1990 - The American Helix Board of Directors, lead by S. Dale High/High Industries, vote to
terminate Scott Robertson of American Helix, and to discontinue the financing of the CD-ROM
business which Stan Caterbone was directly involved. The joint venture agreement with Network
Technologies, or Washington, D.C., had lost an estimated $450,000 in the past 9 months, and the
technologies, which were to be delivering revenues, had proven to be worthless. Scott Robertson had
solicited, negotiated, and administer the deal, Stan Caterbone had raised serious concerns at to the
capabilities of both the technologies, the business, and Network Technologies, early in the project. High
Industries then conducted several meetings with Stan Caterbone to purchase the business, however,
Stan Caterbone had told the executive in a meeting on Good Friday, that he was solely responsible for
any business that was left, and any there was no real value. High Industries agreed to pay Stan
Caterbone his weekly consulting tee only until June 30, in hopes of negotiating an agreement to keep
American Helix in the CD-RON business, which was only feasible with Stan Caterbone, because of his
knowledge and expertise in "Digital" technologies.
August 2, 1990 - Stan Caterbone discovers that in July, Fulton Bank embezzled $5,000 from the
checking account of Stan Caterbone due to an error by Fulton Bank's accounting department Fulton
Bank refused to credit the account for more than 60 days, without crediting the lost interest income.
Dec 12, 1990 - Ferranti reports a near $40 million loss for the first half year, but says it hopes to begin
showing a profit before year-end in March 1991a Stan Caterbone receives a call from James Christian
while in custody in the Loretto State prison. Stan Caterbone asked Jim Christian if he had authorized or
had knowledge about the June 23, 1987 meeting between himself and ISC executive Larry Reach.
James Christian answered the question as follows:
"I never knew of such a meeting, authorized a meeting with Larry and yourself. Larry (Reseb) was the
courier for Jim Guerin, that is how I and Chem Con got set up and used as the scapegoat to divert
attention away from You
should talk to Earnest Schriber of Lancaster Newspapers, you can trust him.. Guerin's attorney (Tate)
called to offer
me $1.00 to settle my $93 million law suit against Guerin".
Dec 14, 1990 - At a Christmas party of Bradley DeForge's, Mike Dipaolo, during a conversation with
Stan Caterbone, had stated that "You (Stan Caterbone) had Guns and Knives in 1987" as the reason
for the mental illness fabrications. NOTES: Stan Caterbone quickly left the party. In addition, during the
same time, other such statements from friends, regarding his present "mental condition", began to
mysteriously resurface only after knowledge of his activities to take legal recourse for the 1987
incidents, and to pursue his due access to the law. Stan Caterbone, in order to get work accomplished
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on the project, traveled to Captiva Island, and continued his project, the "AMG Legal Systems
Prototype" disc. The "AMO Legal Systems Prototype" project was a CD-ROM system, designed by
Stan Caterbone, that would include all of his relevant information concerning his alleged ISC Cover-Up,
including audio conversations, and authentic documents, all stored on one optical disc, or a CD-ROM.
The disc and system was finally completed on May 16, 1991.
December 20, 1990 -Stan Caterbone telephones his cousin Ron Roda, from Captiva Island, Florida, to
inform him that he will arrive home in a few days. During the conversation, Ron Roda, disclosed to
Stan Caterbone that both Jim Warner and Jere Sullivan had made telephone call to his brothers, Phil
and Tom, and made allegations of insanity about Stan Caterbone, and advised the need for
medication.
December 23, 1990 -Stan Caterbone forwards a letter to the Department of Defense Mapping Agency
regarding his bid for the $2.5 million CDROM contract (DMA 700-90-0011), then in negotiations. Stan
Caterbone alleges misconduct in the procurement and for the first time publicly discloses his
allegations of Blackmail immediately following his meeting with ISC executive Larry Resch on June 23,
1987.
January 9, 1991 - Lt. Madenspacher of the Manheim Township Police Department call Stan Caterbone
at his lab/office in him home at approximately 2:00 pm. Lt. Madenspacher explains that he had
received a copy of the letter to the Department of Defense, that Detective Larry Mathias had forwarded
to him. Lt. Madenspacher questioned his motives of the letter and stated: "What are you going to do..
We (Manheim Township Police Department) just don't want to see a multi-million dollar law suit come
down our way.." Stan Caterbone responded, "You know that I was an individual lessee of that property,
and in addition I had never resigned any offices or my Board of Director's seat of FMG, Ltd., .. You also
know that I had met with Larry Resch of ISC on June 2S, 1987, and that I made allegations of
misconduct.." Lt. Madenspacher responded, "We were forced into that (the arrests of Stan Caterbone
on Sept. 3, 1987), we were caught between a rock and a hard place, we were forced into that".
Lt. Madenspacher then changed the subject to "Digital" technologies, and described the activities of the
police department of using the same in the telephone surveillance of criminal suspects. Lt.
Madenspacher then requested to meet with Stan Caterbone. Stan Caterbone agreed, however due to
his current busy schedule, confirmed he would contact him later to schedule a meeting.
January 10, 1991 - Stan Caterbone sends a letter to Lt. Madenspacher of the Manheim Township
Police Department, to schedule a meeting for Thursday, Jan. 17th at 3:00 pm, at his office at American
Helix Technology Corporation, at the Green field Corporate Park. Stan Caterbone requested a response
only if the time was in conflict of his schedule.
January 17, 1991 - Lt. Madenspacher fails to show up for the scheduled meeting with Stan Caterbone
at Amen can Helix, and never contacted him before that date to change the meeting, or called to
apologize for not being able to keep the prior commitment.
January 18, 1991 - Stan Caterbone sends documents concerning the Blackmail" of 1987 to several
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reporters of the Lancaster Newspapers,: Tim MeKeele; Earnest Schreiber; and Thomas Planner. Tim
MeKeele also received a tape with some excerpts of the September 29, 1987 meeting with the PA
Securities Commission, where Stan Caterbone discusses allegations of misconduct against J. Guerin
and ISC.
January 19, 1991 - High Industries American Helix illegally and without notice locks Stan Caterbone
out of his office and the facility of American Helix, who was currently under a joint venture agreement
with Stan Caterbone and his Advanced Media Group, Ltd., for his digital technologies business.
NOTES:: This "Lock-Out" was similar to that of FMG, Ltd., on July 1, 1987. Again conveniently when
Stan Caterbone had raised issues and allegations involving Guerin and ISC.
January 21, 1991 - In fear and confused about his involvement, and in respect to the massive fraud of
the ISC/Ferranti merger, Stan Caterbone sends a package to Ferrantis legal counsel in England by
way of United Postal Service' Overnight International Delivery Service (Tracking Number 1773 0619
670). NOTES: Stan Caterbone was in fear that a potential "Cover-Up" by U.S. authorities, and
specifically the Lancaster community, would place his life in danger, and wanted to insure that the
information concerning his knowledge of ISC misconduct before the lSC/Ferranti merger, and his
disclosure to local, state, and federal authorities in the summer of 1987, at least would be received by
Ferranti, reducing the possibility of someone terminating his life in order so that these circumstances
would not be used as an asset in the present Ferranti Legal efforts.
Jan 22, 1991 - In an effort to support his allegations of misconduct and the allegedly threatening
activities of Stan Caterbone, American Helix president Dave Dering has all of the locks in the building
changed by a professional locksmith, which is nothing more than an act of propaganda.
February 1, 1991 - ABC News 20/20 features the story "Weapons Sales to Iraq" about the ISC/Cardoen
cluster bomb technology and how it got to Saddam Husain. Feb 17, 1991 - Stan Caterbone receives a
letter from Sandra K. Paul, of the Citizens Ambassador Program, a division of People to People
International, notifying him that he has been selected to participate in the upcoming Printing and
Publishing Delegation to the Soviet Union and Eastern Europe in the coming August. People to People
International are a nonprofit organization started by the late Dwight D. Eisenhower to facilitate the
communications of experts from various professions throughout the world. The objective of the
delegation was to exchange ideas, information, and technologies of the printing and publishing
industries with American counterparts in the Soviet Union, and various Eastern European countries.
February 22, 1991 - Federal prosecutors seize $800,000 from Clark, claiming he was privy to
information about ongoing criminal acts within ISC that generated the tainted cash.
February 1991 -In an American Helix staff meeting, with all employees present, but Stan Caterbone,
president David Dering had spent approximately 20 minutes alleging that Stan Caterbone almost
ruined his company, and that he "is a runaway ex-convict, that will end up in jail very soon". The above
discussion was disclosed by engineer Al Thornburg, immediately following the meeting.

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May 23, 1991 - At approximately 2:00 pm, Jay Curtis, (appearing as a Department of Defense
contractor, who had recently solicited the services of Stan Caterbone and his Advanced Media Group,
Ltd., to provide engineering in the development of "Digital" simulation and training applications for
various U.S. Military Logistics bases) had called Stan Caterbone. The following is synopsis of the
conversation: "Because of your recent discussions concerning your knowledge and information about
the ISC Scandal, and an alleged "Cover-Up", I had to do a background check on you, to insure against
any problems when including you in by proposal to the U.S. Department of Defense... Everyone backs
up your story, and is looking over your documents now, including the CIA, IRS, SEC, FBI, Scotland
Yard, Attorney General, the British M-4, and others. They are all verifying and confirming your "coverup" allegations.. They don't know what to tell the Press and Media "I also know that you submitted
documents to Mr. Thomas Flannery of the Lancaster Intelligencer Journal". "How did you know about
the CIA and its involvement with ISC, how did you know that, and what do you know?" NOTES: Jay
Curtis kept pushing Stan Caterbone on the CIA issue, and what he had known and how he knew, Stan
Caterbone kept telling him that the whole situation was to emotional, and that he was afraid for his life.
Stan Caterbone had to eventually tell Mr. Curtis that he could not discuss this anymore. He abruptly
changed the subject and hung up on Mr. Curtis. Stan Caterbone immediately went to a friends house,
and disclosed that fact that he was in fear for his life. He quitly sat on the steps with his friend, Abby.
Later that night, his friend Dave Pflumm would take him to the corner bar for a few drinks, while
unknowing to Stan Caterbone, Ted Koppel was disclosing the story of the CIAs involvement with ISC.
Several hours later, Ted Koppel broke the story about the CIA and ISC's covert operations to sell arms
to Iraq. Immediately following the conversation with Mr. Jay Curtis regarding the CIA and ISC, Stan
Caterbone packed a suitcase and confidential information assets, in preparation to leave Lancaster, in
total and legitimate fear for his life.
May 23, 1991 - ABC News/Nightline and Ted Koppel feature the first in a series of stories, relating to
CIA knowledge of a covert operation to supply munitions to south Africa implemented by ISC and
Carlos Cardoen. The story featured Lancaster and ISC. The report ties Guerin to the National Security
Agency project in the 1970s. The report was investigated by ABC News, the Financial Times of
London, and the Lancaster Intelligencer News. Tom Flannery of the Lancaster Intelligencer Journal,
appeared on the program and was given credits on the show.
May 24, 1991 - The Lancaster Intelligencer Journal reports on the above story. At approximately 1:30
pm, Stan Caterbone drives out of Lancaster, en route to a safe haven, and stops at a convenience
store and reads the early edition of the Lancaster New Era, learning for the first time of ABC
News/Nightline story about ISC and the CIA the evening before, just hours after his conversation
regarding the same to Jay Curtis.
June 7, 1991 - Stan Caterbone is again arrested by the Stone Harbor Police. After passing several
sobriety tests, and two breathalyzer tests, Stan Caterbone is placed in a jail cell, and refused to be
released. Several hours later, Stan Caterbone is cited for outstanding arrests warrants of Avalon, NJ,
dated back to August 14, 1987, by an officer of the Avalon Police department who suddenly appeared.
Both arresting officers demanded $340.00 for the posting of bail. Stan Caterbone requested that the
required cash be retrieved from his car, located just a few blocks away. The Avalon police officer
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responded by saying, "we can't let you go to your car, you may have a gun in there". Stan Caterbone
was immediately escorted to the cape May county Prison, fingerprinted and processed.
June 8, 1987 - Stan Caterbone calls Mike Orstein, Lt. of the Stone Harbor police patrol, and requests
that he retrieve the required cash from his car, and post the required bail. At approximately 2:30 pm,
Stan Caterbone is released on bail.
June 11, 1991 - Stan Caterbone left the Stone Harbor Marina at approximately 12:30 am en route to
Lancaster, Pa, to retrieve some files concerning the ISC cover-up. Upon driving north on Route 47 (the
normal route to Lancaster), approximately 10 miles outside the Cape May county Courthouse, Stan
Caterbone noticed a car following him closely. Suspicious, Stan Caterbone decreased his speed from
55 mph to 35 mph, in order for the car to pass him. However, the car remained directly behind,
adjusting the speed accordingly. In an effort to elude the car, without raising suspicion, Stan Caterbone
gradually increased his speed, while also increasing the distance between the cars, resulting in the loss
of his taillights to the ensuing vehicle - Because of the winding road, Stan Caterbone looked for an
abrupt turn-off, in hopes of dashing the eluding vehicle, by loosing sight of his taillights. There was little
or no traffic on the route during the early morning hours, and Stan Caterbone stopped at an
intersection, and noticed that the headlights of the ensuing vehicle were not visible in his rear view
mirror, meaning that his taillights were also not visible to the ensuing vehicle. Immediately upon pulling
from the intersection, Stan Caterbone noticed a narrow dirt road that lead into a field of small trees, the
perfect place to sit for the ensuing auto to pass him, unnoticed. The ensuing vehicle pulled to the
intersection, and continued north on route 47, in the direction of Lancaster. Stan Caterbone sat in his
vehicle a few minutes, until continuing on his travel, north on Route 47. Approximately five (5) minutes
later, a car traveling in excess of SS mph, approached Stan Caterbone, traveling south on the same
road (2 lanes) As the two cars approached each other, and approximately 30 yards from reaching each
other, the approaching vehicle drove directly into the lane of Stan Caterbone, with its high beams on,
and continued straight for his vehicle, or what appeared to be a head-on-collision. Stan Caterbone
drove off of the berm of the road, missing a line of trees by less than 12 inches (eluding a life
threatening disaster), and passed the vehicle that was still in the north bound lane, heading south. Stan
Caterbone, shaking and sweating furiously, noticed the cars brake lights go on, and the car apparently
turned around, and began pursuing Stan Caterbone again. Stan Caterbone drove as fast as he could to
Route 55, hoping to find traffic in order to hide and loose the pursuing car. Stan Caterbone arrived in
Lancaster, at approximately 3:00 am, and again noticed a car sitting in the parking lot of the vacant
"Sportsman's Den", at the intersection of the New Danville Pike and Prince Streets. Upon driving west
on Hershey Avenue, Stan Caterbone noticed the car following him. In an effort to identify the license
plate, Stan Caterbone made a few turns in the area of Hamilton Watch, and followed the car heading
north on S. West End Avenue. The car was a late model, gold or tan, Cougar or possibly a Buick Park
Avenue. Stan Caterbone watched the car increase his speed, and finally changed directions and
proceeded to his residence, and parked a few blocks away, and walked through the woods, to his
apartment in the Hershey Heritage complex. Stan Caterbone then used a flashlight, in order not to
reveal his presence, and returned to his vehicle, sometime in the early morning, during daylight.
June 19, 1991 - Stan Caterbone leaves Stone Harbor, in constant fear for his life, and remains in
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seclusion, in various parts of Eastern Seacoast, spanning from Captiva Island, Florida, to Boston, MA,
in order to prepare an official request Congressional Investigation of all related matters.
Jul 11, 1991 - Stan Caterbone files an official request C300 pages) for a Congressional Investigation
into all of the ISC and preceding issues with U. S. Representative Robert Walker CR-Pennsylvania),
and Speaker of the House, U. S. Representative Thomas Foley. Overnight Mail Service of the United
States Post Office, outside of Baltimore, Maryland, sent both requests.
July 12, 1991 - Stan Caterbone returns to his home, in Lancaster, PA, at approximately 12:00 pm, after
remaining in seclusion immediately following the phone conversation of May 23, 1991 with Jay Curtis,
regarding the CIA and ISC. ABC News/Nightline features it's second story about Lancaster's ISC and
Arms to South Africa and Iraq.
July 18, 1991 - U.S. Representative Robert Walker sends a letter to Stan Caterbone relating to his
request for a Congressional Investigation into all of his allegations of misconduct and criminal
wrongdoing regarding his alleged ISC/Fraud "cover-up". The letter said : "Thank you for your recent
letter and information on International Signal & Control corporation. I appreciate your thinking of me;
however, since this case is before the courts, it is unethical for me to interfere with judicial process. If
you think I may be of assistance with other matters, please feel free to contact me".
August 1, 1991 - Stan Caterbone receives a notice of a warrant for his arrest by the Stone Harbor (NJ)
Municipal Court, regarding summons #081370. Stan Caterbone called the Court Clerk, Pam Davidson,
to explain the circumstances. The Court Clerk refused to identify herself, and did not have time to listen
to his explanation. She then questioned why he (Stan Caterbone) wanted to write to the Judge to
explain. Stan Caterbone writes a formal letter to Judge Peter M. Tourison, of the Stone Harbor
Municipal Court explaining his allegations of misconduct, and the issues surrounding his recent arrest
of June 7th, and all of the arrests dating back to August of 1987. Stan Caterbone had described in
detail his assertions and evidence that the arrests were conveniently orchestrated while he was seeking
legal recourse for the alleged ISC "Cover-Up'. Stan Caterbone also explained his fear for not returning
to the Stone Harbor Municipality, in light of the fabricated arrests, and other questionable incidents.
Stan Caterbone requested another means of settling all outstanding frivolous traffic violations, other
than appearing in Stone Harbor Municipal Court. Stone Harbor Municipal Court Judge, Peter M.
Tourison, sends Stan Caterbone an official letter acknowledging receipt of his previous letter and
explanations. Judge Tourison concluded his notice by demanding that Stan Caterbone appear in Court,
as scheduled, "to have this matter taken care of in the proper manner.
August 13, 1991 - Ferranti announces it has recovered $650,000 hidden by Guerin in a number of
Swiss Hank accounts. Ferranti also announces a fiscal 1991 loss of $282 million. Stan Caterbone
responds to Judge Tourison letter of August 8, and discloses the recent attempt on his life, the past
June, just outside or Stone Harbor, and states that because of the apparent criminal conspiracy within
the same municipality, Stan Caterbone formally notifies the Judge that he refuses to return to Court, as
requested.
August 15, 1991 - Guerin and Cardoen are shown to have been deeply involved in a failed $100 million
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arms procurement plot linked to the infamous Iran-Contra scandal.
August 16, 1991 - Stan Caterbone receives a formal notice and demand from American Helix President
David D. Dering, for the return or equipment, currently in the possession of Stan Caterbone, and notice
of the termination of the business agreement, dated October 1, 1990 between Stan J. Caterbone and
American Helix Technology Corporation. Stan Caterbone receives a facsimile from Mike Hess (former
ISC engineer who frequented S. Africa and who solicited Stan Caterbone in late 1989 for work), and
refuses to sign a non-disclosure agreement with Stan Caterbone and the Advanced Media Group, Ltd.,
as requested to continue a further relationship considering the recent activities from the May 23rd
phone call and the national media publicity regarding the ISC Scandal.
August 19, 1991 - Stan Caterbone sends a letter to attorney Timothy Lanza via the Lancaster Bar
Association, and asks for an explanation as to his misrepresenting to Stan Caterbone for the past
month that his order for Advanced Media Group, Ltd., stock certificates were ordered, when in fact Stan
Caterbone verified with authorized personnel of the H. Burr Kein company that the order was never
placed. Timothy Lanza had personally disclosed to Stan Caterbone on several occasions that he was
awaiting the delivery of the certificate kit via UPS. Stan Caterbone responds to the previous letter of
David D. Dering, and his request for the return of American Helix equipment, currently in the
possession of Stan Caterbone. Stan Caterbone formally notifies David Dering that the equipment will
be held as collateral, according to statutes of the Pa. Uniform Commercial Credit code, that the
equipment will not he returned until the past due invoice {# 1018), of the Advanced Media Group, Ltd.,
of July 12, 1991 for $4,914.00, which was due upon receipt according to their business agreement, was
paid in full.
August 29, 1991 - A federal judge dismisses Christian's $93 million suit against Guerin, but Christian
vows to re file the suit.
September 13, 1991 - ABC News/Nightline features another story about ISC, the CIA, and Arms Deals,
in preparation for the beginning of the-Confirmation Hearings of George Bush's nomination or the
Director of the Central Intelligence Agency, Robert Gates, which begins just three days away, by the
Senate Intelligence Committee.
September 14, 1991 - Ferranti and Clark reach an agreement to settle their legal battle, although either
party does not disclose details. September 16, 1991 - The first day of the Robert Gates' Confirmation
Hearings brings questioning by Senator Murkowski, of the Senate Intelligence Committee, about
knowledge of the ISC operations by Robert Gates. Gates, whose candor about Iran-Contra resulted in
his 1987 withdraw when nominated for the same slot by then President Reagan. In a less-than sincere
line of questioning, Robert Gates denies any knowledge of ISC, Guerin, or Carlos Cardoen, including
any operations to sell munitions to Iraq or South Africa. In addition, he denies any knowledge of any
CIA involvement in the same.
September 19, 1991- Stan Caterbone visits the office of Senator Bill Bradley (D-New Jersey), in the
Hart Office Building, Washington, D.C., and delivers documents, tapes, and a video, all relating to his
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allegations of an alleged "Cover-Up" regarding the ISC Scandal. Assistant Jackie Widrow, who signed
a receipt, took the materials.
September 21, 1991- Stan Caterbone delivers a contract for the consulting services he has agreed to
provide to J. Oman Landis, in order to insure against any wrongdoing, and especially in light of Mr.
Landis' assertion the previous Friday that "you (Stan Caterbone) are taking a break (from business) to
rest your mind". This assertion conveniently supports the alibi of mental insanity, that has been made
by numerous persons, including Mr. Landis' friends, the High's, who wholly own American Helix
Technology Corporation. Several hours after delivering the contract to Mr. Landis, and after beginning
to work, as outlined in the contract, Mr. Landis called Stan Caterbone into his office and said "there
were some developments over the weekend, why don't you continue on your normal duties of driving
(limousines), this has nothing to do with the contract that you asked me to sign".
October 1, 1991 - Stan Caterbone receives a facsimile from David Dering, President of American Helix,
formally charging Stan Caterbone with charges of 16,730.00. David Dering also demands that the
equipment be returned, and upon receipt, American Helix would forgive $11,816.00 ($16,730 $4914)(Caterbone's invoice) of unpaid charges to Stan Caterbone and or the Advanced Media Group,
Ltd., Stan Caterbone sends by certified mail, a copy of a recent complaint (filed Sep. 6, 1991) to the
New Jersey Department of Motor Vehicles, and a demand for the title to his boat, and again allegations
of criminal wrongdoing by the Stone Harbor Marina, for not delivering title, given the bill of sale was
satisfied on June 10, 1991, and a fee for the title was paid as well. Stan Caterbone personally meets
with Ted Koppel, of ABC News/Nightline, at the Washington National Airport, at approximately 5:30
pm. Stan Caterbone questioned Ted Koppel if he knew a Mr. Jay Curtis, and why he was questioned
about the CIA's involvement with the ISC affairs, just hours before the broadcast. Ted Koppel denied
any knowledge of Mr. Jay Curtis, and stated that Thomas Flannery was involved in the broadcast
requested the phone number of Stan Caterbone, and said that he would contact him later, due to his
present time constraints, and asked "what do you want, and what is the story line?" Stan Caterbone
responded, "Justice and protection, someone is trying to cover me up, and someone already made
attempts on my life... someone keeps getting information from me, while I'm left sitting in Lancaster
like a sitting duck".
October 2, 1991 - Stan Caterbone responds by facsimile, to the Oct. 1, correspondence, to David D.
Dering. NOTES: Stan Caterbone requested supportive documentation regarding the suspicious
charges of $16,730.00 as declared, in order to consider the request for the return of the equipment.
David C. Dering responds by facsimile, demanding for Stan Caterbone to meet him at the Holiday Inn,
in Lancaster on Friday, Oct 4th, with the equipment in his possession, and states that he will deliver the
required supportive documentation of the charges as requested.
October 2, 1991 - Stan Caterbone responds by facsimile to Ted Koppel, as to his question concerning
the "story line" October 31, 1991 - Guerin and 19 others, including Larry Reach, are indicted on 75
criminal counts by the Philadelphia based grand jury. Laura McQueen, administrator for the New
Jersey Department of Motor Vehicles, called Stan Caterbone at approximately 3:30 pm, to notify him
that she was trying to sort out the problem with his complaint regarding title to his boat. Ms. McQueen
acknowledged that the Stone Harbor Marina had submitted an application for a title, apparently dated
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on or about June 10, however the identity of the boat did not match that of for Stan Caterbones. Ms.
McQueen also admitted that there seemed to be evidence of wrongdoing, but denied to state whether
the matter was presently being investigated. Ms. McQueen also stated that the title in question was
being microfiche, and that within a few days, they should be able to trace the title, and resolve the
problem. Robert Clyde Ivy, Terrance Faulds, Wayne Radcliffe, Gerald Schuler, and Thomas Jaslin
enter not guilty pleas to all charges handed down by the Philadelphia grand jury.
November 24, 1987 - Robert Shireman, ISC financial executive pleads his guilt in the ISC $billion fraud
and scandal.
November 25, 1987 - Anthony Stagq, ISC executive in charge of Singapore operations, pleads guilty in
the Arms Export violations.
November 27, 1987- ISC Executive Larry Resch pleads guilty to his role in the massive contract fraud
in the Ferranti/ISC merger of November, 1987.
December 3, 1991 - Philadelphia grand jury hands down a "superseding indictment", clarifying the
money laundering portion of the charges. The indictment states that between November of 1986 and
June of 1989, Guerin looped $450 million through phony bank, vendor, -and customer accounts to give
the appearance several of the bogus ISC contracts were real. The preceding information also allows for
the possibility of an indictment of William Clark, and possibly his attorney Joseph Roda. The largest of
the fake contracts was the Pakistan Missile deal, in which Larry Resch was charged and indicted by the
grand jury for managing. Stan Caterbone's best friend in the whole world, little "Abbey Pflumm", shouts
his name, "Taan", for the first time.
December 3, 1991 -Mike Hess, a former ISC engineer that also has done work for Stan Caterbone,
visits
Stan Caterbone to deliver all materials in his possession which is the property of the Advanced Media
Group, Ltd., Stan Caterbone and Mike Hess engage in an argument when Mike Hess becomes
annoyed at Stan Caterbones continued caution and suspicion of Mike Hess's real motives and agenda
for the relationship. Stan Caterbone had witnessed several incidents of inconsistencies with the attitude
of Mike Hess, with specific respect regarding Stan Caterbone's efforts for justice and legal recourse
concerning the affairs of 1987. Stan Caterbone admitted in several occasions that he will never trust
anyone, especially given his former association with ISC, and most importantly his activities and travel
to South Africa.
December 4, 1991 - Stan Caterbone calls the Citizens Commission of Human Rights, after seeing the
organization featured on the Murray Povich Show, and talks to Roy Griffen. The organization's mission
is to investigate abuses within the mental illness profession. Roy Griffen requests information, and
agrees to investigate his allegations. Stan Caterbone states that he will Federal Express a copy of this
chronology.
December 5, 1991 - At approximately 10:00 am, Stan Caterbone sent a package of information via
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Federal Express (tracking number 9734766S93) to:
Roy Griffen
Citizens Commission for Human Rights
6362 Hollywood Blvd.
Los Angeles, CA 90028
(800) 869-2247
The package was received at 9:56 am (PST) by L. Mezkerlsl, at the front desk.
December 5, 1991 - At approximately 4:52 pm, James Guerin pleads guilty to eight (B) grand jury
indictments of October 31. The indictments are as follows:
??

Criminal Conspiracy

??

Violation, Arms Export Control Act

??

Violation, Comprehensive Anti-Apartheid act.

??

Money Laundering

??

Securities Fraud

??

Filing False Income Tax Return

??

Aiding and Abetting the Commission of crime.

Sentencing is scheduled for February 25, 1992, with a minimum of 14 years, and a maximum of Life in
prison.
December 4, 1991 - Stan Caterbone receives uninvited visitors at his residence, cousin Sam Miller
family, who in September left him stranded in Florida. They conveniently need a place to stay, while
visiting in Lancaster, and purposely cause distractions to his efforts for legal recourse.
December 11, 1991- Stan Caterbone finally requests that Michelle and Jason Miller vacate his
residence.
December 20, 1991- Stan Caterbone receivers a notice from the Internal Revenue Service regarding a
discrepancy in income reported on his 1989 Federal Income Tax Return. The items in question were
his "disability income" from Monarch life insurance and American Helix "non-employee income".
December 23, 1991- Stan Caterbone responds to the IRS letter and submits a copy of the chronology
of this conspiracy, along with the entire audio transcript (2 - 90 minute cassettes) of his meeting of
September 29, 198? with the Pennsylvania Securities Finding of Facts Resulting in Chapter 11
Bankruptcy Page 41 Commission and requests assistance in his ordeal. The correspondence was sent
via 'Return Receipt Requested" in order to insure proof of delivery. Stan Caterbone sends an updated
chronology to Roy Griffen of the Citizen's Commission for Human Rights.
December 28, 1991- Stan Caterbone sends a formal notice to attorney Howard Cerny, 245 Park
Avenue, New York, informing him to return the previously submitted information and tapes regarding
this case, and also informing him that he no longer wishes to discuss these issues with him or any
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member of his firm.
December 30, 1991- Stan Caterbone travels to the U.S. 9:50 am courthouse in Philadelphia, PA, and
personally delivers the chronology and a copy of the "1987" Pennsylvania Securities Commission
meeting to Chief Judge Bechtel, who is presiding over the ISC court preceding. 10:00 am Stan
Caterbone visits the U.S. Attorney Generals office in the same building and files a formal complaint,
"Criminal Conspiracy to "cover-up" the International Signal a Control scandal. The proper form is filed
with the clerk. Assistant U. S. Attorney General Gray asks Stan Caterbone to briefly describe his
complaint. Stan Caterbone gives Gray the chronology along with the tapes. Stan Caterbone briefly
describes the meeting of June 23, 1987 with Larry Resch, the nay 23, 1991 phone call from Jay Curtis,
the arrests by Manheim Township, and the attempts on his life. Agent Gray took notes, and said he is
not
familiar with the case, but would personally see that the information is passed to the proper authorities
involved in the case. During the conversation, Mr. Gray asked the exact same question that was asked
by both Joe Roda and Investigator Eisler of the Pennsylvania Securities Commission) "But you did not
work for them (ISC), you were not involved with them?" Stan Caterbone gave this response to all
questions by Mr. Gray: It's all in there (the chronology), all of the information and events".
January 6, 1992 - Stan Caterbone sends a copy of the criminal conspiracy chronology and a complete
audio transcript of the PA SEC meeting of 1987 to the legal counsel of the Pennsylvania Securities
Commission via Certified Mail Return Receipt Requested: P825 695 935.
January 8, 1992 - At a "Town Meeting" in Columbia, Pennsylvania held by U. S. Senator Arlen Spector,
Stan Caterbone personally delivers a copy of the criminal conspiracy chronology to Anon Spector after
the meeting and asks Arlen Spector to read the letter, Mr. Spector replied, " I will do that".
January 9, 1992 - Stan Caterbone receives the Return Receipt from the Pennsylvania SEC, signed by
Sharon F. Heinspach on January 8, 1992.
November 8, 1997 Stan Caterbone solicits Attorney Matt Samley, of the law firm of Xelkallis, Reese
and Pugh, to provide a legal opinion as to the circumstances involved in the cover up. Mr. Samley
quickly asks if anyone had called Stan Caterbone about the issues. Mr. Samley agrees to review the
documents and will provide a legal opinion of any criminal and prosecutorial misconduct.
November 23, 1997 - Stan Caterbone delivers materials to Mr. Samley and also sends via Federal
Express the same materials to Christina Rainville, of Shnader, Harris, Lewis, and . With a letter
requesting a legal opinion from Ms. Rainville.
December, 8, 1997 - Ms. Pam Pflumm call Dr. Albert Shultz regarding the behavior of Stan Caterbone.
December 15, 1997 - Stan Caterbone telephones Jim Christian to again confirm that he did not have
knowledge of his meeting with Mr. Larry Resch. Jim Christian began threatening Stan Caterbone from
public disclosure of these issues; he said, You have to forget about it. Your life will be worse off than it
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is now, you better just forget it
January 14, 1998 - Stan Caterbone visits with Fr. Edward Lavelle for advice and guidance concerning
his situation. Stan Caterbone only asked that Fr. Lavelle call Mr. David Pflumm, and ask he and is key
employees refrain from inflicting any additional mental duress upon his person Fr. Lavelle refuses
unless he is told to do so by Dr. Al Shulz. He offers no further assistance. 1:00 pm A few hour later,
Stan Caterbone visits Dr. Al Shulz for his quarterly appointment. Immediately upon entering the
appointment, and before the plaintiff will speak any words, Dr. Al Shulz will contemporaneously accuse
the plaintiff and declare: Stan, you are very sick. You are not well! You need to take additional
medications. The recorded transcript will prove the horrid implications of these conversations.
February 20, 1998 The plaintiff is forced to vacate his position of Controller of Pflumm Contractors,
Inc., due to the purposeful and intentional infliction of mental duress, perpetrated as a direct reprisal
against the Plaintiffs rightful pursuit of due process of the law concerning all issues contained herein.
April 21, 1998 The Pennsylvania Department of Labor and Industry will again illegally deny the Plaintiff
of his legitimate claim for Unemployment Compensation Benefits, which again is an act of reprisal
against his rightful pursuit of fair access to the law, and his disclosures of the incidents contained
herein.
The Pennsylvania Department of Labor and Industrys 1987 rulings against the Plaintiff have been also
proven to be in err, which conveniently and intentionally subjects the Plaintiff to financial hardship and
mental duress, all purposefully hindering the Plaintiffs right to access the law. The record of the
plaintiffs claim for Unemployment Compensation Benefits is corrupted.
Diary of Mental Duress Pflumm Contractors, Inc.,
I started to log incidents of mental duress in December of 1997 after the incidents became consistent
and demonstrated not be random acts of mere occurrences. This behavior and malicious treatment
was an extreme divergence from the previous 45 months of my tenure and a polarization of my
relationships with all employees involved, including Mr. David Pflumm.
Ms. Susan Bare (Office Manager, Reporting Directly To Me)
In December, her attitude became especially hostile toward me, upon many occasions challenging my
computer knowledge when in fact she has limited experience. She had continued to persist in wanting
to change procedures, which I had repeatedly told her that systems are reviewed at the end of the fiscal
year, and any necessary changes would only be made during the off-season, as in previous years.
She had continued to challenge my authority, which was out-of -character, and not consistent with her
job description. She had often become upset and snippy when I would not go out and get her lunch,
which was not in my job description.

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Mr. James Leonards, (Asphalt Paving Supervisor)
In the week preceding Christmas vacation, Mr. Leonards had requested that I submit a form to
Wholsen Contractors, which was incidental to any contracts. The form requested banking accounts,
which I had refused to answer. I would not release the corporate confidential banking information to a
General Contractor of whom we were at credit risk for collecting payments for services rendered, not
the other way around. Mr. Leonards continued to harass me about the document, and kept waiving the
document in front of my face. He continued, and I told him to have Wholsen call me. I had counted
five incidents regarding this document, which I never submitted. This information was immaterial to
any negotiations with Wholsen, and was intended only as a means of mental duress.
Mr. Leonards had shown interest in learning estimating software on the computer. He persistently
requested the opportunity, and I had suggested that he evaluate competing software before any final
decisions were made. He had on his own, obtained a demonstration of software, which he evaluated.
It was not what we required, and before Christmas, I had procured another demonstration disc for his
evaluation. He promised to evaluate that software over the Christmas vacation. Mr. Leonards kept
giving me excuses, and was never evaluated., merely to inflict mental duress.
On many occasions Mr. Leonards insisted on challenging my computer knowledge with incidental
technical questions, knowing that I was becoming annoyed. Mr. Leonards only began working on a
computer at home, within the past several months.
On January 15th, I went out to start my car, and Mr. Leonards and Mr. Ralph Carruthers from the lobby
door, made gestures at me thinking that I was leaving, when in fact I was merely warming up my car.
When I returned to the lobby, Mr. Leonards and Mr. Carruthers had disappeared.
On or about February 24th, upon logging into my AOL account, a Buddy List message from Mr.
James Leonards appeared on my computer screen that said Stan is that you?. The only way that I
am able to receive Buddy List messages is to sign up for the service, of which I had never done,
which means that Mr. Leonards must have illegally accessed my account and signed my account up
for the service. The evening before, a neighbor saw me looking for my cats with a spot light, and yelled
Stan is that you?. This is certainly a clear example of mental duress, among other electronic privacy
violations.
Mr. John Brown, (Truck Driver)
On January 9th, Mr. John Brown was receiving his pay check and made the following remark Stan,
why didnt you go to Cancun with Dave, you look like one of those Mexicans.
LN Dockey (Office Assistant, part-time)
Consistently called my car phone upon leaving the office to ask where I was going, and when I was
coming back, which was none of her business. She reported to me, I did not report to her. She knew
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that this annoyed me, and was out-of-character and inconsistent with prior behavior.
Mr. Brian Langsett (Subcontractor)
Mr. Brian Langsett continued to make calls to my home, and during the week of February 20th,
screamed and yelled into my voice mail, which resulted in my changing my line to a private phone line.
Mr. Langsett consistently left messages on my voice mail, knowing that I was not going to answer them
back.
Mr. Ralph Carruthers (General Manager)
On January 22nd, Mr. Ralph Carruthers entered my office and requested that I redo a pay application
for the Lancaster Township Park Avenue project that I had done. I informed him that I had nothing to
do with that pay application because I was on vacation. He stormed out of my office, mad that I
wouldnt redo the pay application and telling me that I had done it.

Immediately following his

departure, Mr. David Pflumm stormed into my office and got inches away from my face and said Do
you and Ralph have a problem, what is your problem? I nervously and quite upset said, Dave, I
didnt prepare that pay application, I was on vacation.

Mr. Pflumm replied, Yes you did.

immediately said, Dave, mental duress is a serious matter, you dont mess with someones mind, like
that you just dont play with someones mind like this., I was on vacation Mr. Pflumm went on to say
that I did do the pay application. I asked him Do you have a problem with me? He replied no.
I later went to the file and retrieved the original pay application for Lancaster Townships Park Avenue.
Mr. David Pflumm with his handwriting prepared it. I later showed it to him and he said nothing. THIS
IS MENTAL DURESS.
Mr. David Pflumm
In August of 1997, I was responsible for the formulation, presentation, and collection of a Change
Order for the removal of rock at the Cecil County Community College, which we subcontracted the
work from e.e. Murray Construction Company.

We had negotiated a unit price per cubic yard of rock

removed, and we were required to document the measurements, which accounted for a billing of some
$275,000 to e.e. Murray.
I had spent several hundred hours on the project, most of which I had done at my office at home.
Through November, it became apparent that the e.e. Murray was trying to pass on their own problems
and mistakes with their contract with the College to us, in an effort to relieve themselves of the
$275,000 contractual liability they had with Pflumm Contractors, Inc., This process was an enormous
burden, given the impact the loss would have to our financial, and especially considering that e.e.
Murray had no legal loophole to avoid payment to us, regardless of any dispute they had with the
college.

I had proven this through thorough documentation and the specifics of our contractual

arrangements.

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My policy and the policy of Pflumm Contractors, Inc., up to this point had always been to take legal
action after all other efforts for collections and contract disputes have failed. I had demonstrated an
outstanding performance in reducing the amount of bad receivables, which had almost caused the
company into bankruptcy prior to my affiliation. More Mr. David Pflumm had always demonstrated a
hard line stance in all collection matters, even to the extreme of causing the dismissal of his own
employee for failing to reimburse the company for a $700 repair bill. Mr. David Pflumm was not known
for his fairness or good faith negotiating. His tendency was to inflate production figures, and was lack
in leniency to anyone that owed him money.

This was clearly demonstrated in past contractual

disputes with the Hershey Library, Dutch Family Inn, Consolidated Construction, and various other
small accounts. His policy was consistent no matter what the amount of the payable.

Mr. Pflumm

was quick to take legal action in all disputes as soon as negotiations proved fruitless.
As early as late October I had advised Mr. Pflumm that we were exhausting our efforts for collection of
the $275,000 and that e.e. Murray was not negotiating in good faith and was in my opinion engaging in
fraudulent tactics. This transaction was of even greater importance than any other bad receivable due
to the fact that a majority of the funds at risk were pure profits. As early as November, it was the
advise of our corporate attorney, Mr. Matt Samley of Xakellis, Reese and Pugh, that a civil law suit
should be immediately filed. I had Mr. Matt Samley detail all of the legal parameters of his legal
opinion supporting his contentions.
In November, I had informed Mr. David Pflumm that I personally removed myself form the dispute on
the grounds that e.e. Murray Construction Company was not acting in good faith, I had exhausted all
available resources and means of collecting the monies without a civil law suit being filed, and Mr.
David Pflumm refused to take legal action.
By my departure on February 20th, all efforts for collecting the $275,000 proved fruitless, and Mr.
David Pflumm continued his procrastination of filing a civil lawsuit. I am of the firm belief that the
many of the negotiations and situations surrounding the collection of payments from e.e. Murray was
strategically used as ploy to inflict mental duress for the following reasons:
1

I had exhausted most of my time during September, October, and November while also
managing my regular duties, and had requested a fee for the collection of funds that was
well beyond the scope of my duties.

e.e. Murray Construction Company had no legal foundation for not paying Pflumm
Contractors, Inc., regardless of whether e.e. Murray collected the funds from the Cecil
County Community College.

e.e Murray had collected enough funds from Cecil County Community College in January,
and still refused any payment to Pflumm Contractors, Inc.,

Mr. David Pflumm had exhibited and demonstrated an extreme sense of leniency toward
filing a civil lawsuit that was unprecedented during my tenure and in the history of the
company.

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Over half of the $275,000 was cash for the company.

I allege that during the month of February, communications were used to deceive the true
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nature of the situation.
7

Mr. Pflumm had always taken my advice on such matters during my tenure.

Lastly, the only reasonable explanation for not filing a civil complaint is that the situation
was not being truly disclosed by Mr. David Pflumm and e.e. Murray and that a lawsuit
would become public record and has adverse and irrevocable damages to e.e. Murray
Construction Company.

In late January Mr. David Pflumm laid a large envelope addressed to his home on my desk. Inside was
a letter addressed to me from Airways Charter Service, including a brochure depicting a plane, identical
to that which was illegally repossessed from me in 1987. This was clearly a demonstrated tactic for
mental duress. In the history of my tenure, we have never discussed or had any remote need for such
a service, and more importantly, the package was addressed to Mr. David Pflumms home.
On week of February 20th, Mr. David Pflumm had provided me with documentation that required my
signature from Town & Country Leasing for my automobile that that had I signed would have given the
leasing company the right to repossess the automobile at any given time while providing me with no
legal recourse to prevent such repossession. Mr. Pflumm had agreed to personally guarantee the
payments for the automobile for the duration of the lease, under any and all circumstances. He has
breached his agreement.
During the weeks preceding my departure, in the course of my travels, I had passed many employees
on many different occasions during the course of the day. On every occasion, not one employee would
acknowledge me with a gesture or waive.
During my tenure at Pflumm Contractors, Inc., not only did I resurrect the company from near
bankruptcy, and restore the company to the best financial condition it has ever experienced, even as
important was the management policies that I had implemented that had for the first time given the
employees fair and equitable place of employment.

And their gratitude was often displayed and

demonstrated toward me. The behavior of the company, as a whole, was drastically out of character
and malicious, which had resulted in a hostile environment directly threatening my mental welfare.
There is not a reason in the world where I should have been so maliciously treated. The pain and
suffering was so great, that I specifically sought the advice and help of Fr. Edward Lavelle on January
14th, in the Office of the Bishop.
Any further detail to this document would greatly compromise my rights for any future litigation, which
may or may not transpire.
I Attest,
Stanley J. Caterbone

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August 2001 AIM Management Company begins to systematically sabotage my business with al l of
the Wholesale Representatives and Advanced Media Group, which resulted in the loss of
approximately $50,000 per year of revenues. This was is the beginning of the loss of my earning
capacity to present.
2002 to 2004 Day trading business was again sabotaged by malicious mirror trading of my stock
portfolio resulting in the loss of profitability on my trading transactions. Persons and or organizations
would systematically trade against me while also employing techniques of psychological tactics to
distract me from concentrating on my own instinctive nature and financial analysis required for
profitability.
Dec 16, 2004 Plaintiff sends a complaint to Agent Sarsfield of the Pennsylvania Attorney Generals
Office in Pittsburg regarding illicit telephone activities:
December 15, 2004
Commonwealth of Pennsylvania
Office of Attorney of General
Bureau of Consumer Protection
Pittsburgh Regional Office
6th Floor, Manor Building
Pittsburgh, PA 15129
Attn: Ms. Shannon J. Sarsfield
Ref: Verizon Customer Relations, C-006142-2004
Dear Ms. Sarsfield:
I appreciate your review of the aforementioned file. I was also in receipt of the November 19, 2004
response of the complaint from Verizon. For the record, I have made several previous attempts prior to
the July 28th request to be place on their Do Not Call list. I had made several calls in the previous
months, and the calls did not stop. My telephone has been used as a means of harassment and
intimidation, with my calls often being intercepted, misdirected, or impersonated. And often calls from
Out of Area made several times a day, with no answer. If you were to do an audit of my calls (in/out)
over the last several years, you would reveal the nature of these activities.
Dec 16, 2004 Plaintiff sends a complaint to Agent Sarsfield of the Pennsylvania Attorney Generals
Office in Pittsburg regarding illicit telephone activities:
December 15, 2004
Commonwealth of Pennsylvania
Office of Attorney of General
Bureau of Consumer Protection
Pittsburgh Regional Office
6th Floor, Manor Building
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Pittsburgh, PA 15129
Attn: Ms. Shannon J. Sarsfield
Ref: Verizon Customer Relations, C-006142-2004
Dear Ms. Sarsfield:
I appreciate your review of the aforementioned file. I was also in receipt of the November 19, 2004
response of the complaint from Verizon. For the record, I have made several previous attempts prior to
the July 28th request to be place on their Do Not Call list. I had made several calls in the previous
months, and the calls did not stop. My telephone has been used as a means of harassment and
intimidation, with my calls often being intercepted, misdirected, or impersonated. And often calls from
Out of Area made several times a day, with no answer. If you were to do an audit of my calls (in/out)
over the last several years, you would reveal the nature of these activities.
Dec 16, 2004 Approx 1:00 pm Plaintiff meets with Michael Landis, County Detective for Lancaster
County, in his office at the Lancaster Courthouse to discuss J. Karpathious and death threats and the
Southern Regional Police Department. Plaintiff sends email to Michael Landis and a copy of the 1998
Affidavit in the email. Supreme Court announces plans to review Lambert Appeal the next day.
Dear Mr. Landis,
Thank you for taking the time to meet with me yesterday. I appreciate your time. I understand your
frustration in trying to understand the circumstances regarding my situation. I have enclosed a
document, which I authored in 1998 to help you. Also, if you could, maybe you could help to facilitate
my application for food stamps with the County Assistance Office. I would appreciate it.
Feb 18, 2005 Plaintiff sends the following letter to the Chief of Police of the Southern Regional Police
Department:
February 18, 2005
Chief John A. Fiorill
Southern Regional Police Department
3284 Main Street
P.O. Box 254
Conestoga, PA 17516
Dear Chief Fiorill:
I am very disappointed in the way that our meeting had ended. I will be filing complaints With the
appropriate authorities concerning the threats and abuse by Officer Busser. Remember you had
requested that meeting. And as you stated, I do not believe anything that you say, well Sir, that is
certainly your choice, however I have never provided anything but the truth to you or any member of
your department. The burden of proof to my allegations falls within your jurisdiction. If you are telling
me that I have to prove every allegation when I report a crime, I just dont know how that is possible.
But you are the Chief of the department, so I guess I will have to protect my person and property in any
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manner that deems appropriate. I apologize for becoming loud and frustrated, however when you tell
me that I am lying and I am most certainly telling the truth; and then you and Mr. Busser yell that I am
nuts and to get out of here; and that no one will respond to any of my calls to your office, well we
have a very serious problem. You both have challenged my integrity, my truthfulness, credibility, and
my sanity. And Mr Busser pulling out his night stick and holding it up to hit me, that is more than
enough for me.
I get the picture loud and clear. I hope that you do as well.
Cc: Donald Totaro, Lancaster County District Attorney
Feb 19, 2005 Plaintiff files the following complaint with the The Internet Fraud Complaint Center (IFCC)
after the incident of Kerry Egan calling 911 to file a false report of plaintiff sending an email stating to
kill himself.
Saturday, February 19, 2005
The Internet Fraud Complaint Center (IFCC) is a partnership between the Federal Bureau of
Investigation (FBI) and the National White Collar Crime Center (NW3C).
February 19, 2005 7:26 am
At approximately 5:00 am this morning the Conestoga Police entered my home and accused me of
sending an email to Kerry Egan threatening to kill myself. The officer verbally and physically abused
me because I did not know what he was talking about and he kept interrogating me and handcuffed me
because I said that I was not on the internet after 10:00 pm on February 18, the evening before. The
officer told me that I sent an email to Kerry Egan and she called 911 at approximately 5:00 am this
morning. I told the officer that I did I fell asleep at approximately 1:00 am and did not awake until the
officer arrived at my house. The officer was quite abusive and tried to accuse me of lunging at him,
when in fact he was throwing me around. Pam Pflumm, who previously filed trespass charges against
me, and whom I was to have no contact with, illegally entered my home with the officer, via a key
which I had kept on the deck. Before they entered my home, I called 911 and requested that the
Pennsylvania State Police come to my aid because of the verbal and physical threats that I received
earlier in the day from Officer Busser and Chief of Police Fiorill of the Southern Regional Police
Department. After they had left, I took a shower and almost collapsed from exhaustion and trauma. I
got dressed and went to the emergency room of Regional Hospital, former Saint Joseph Hospital. Dr.
Laird attended to my concerns.
Feb 20, 2005 Plaintiff calls Southern Regional Police Department and Humane League to file formal
complaint of Cruelty to Animals. Both refused to investigate or file any reports. Complaint phoned in to
the Humane League on Feb 20, 2005 As described to a Letter To The Editor, Gil Smart While I was
away for a family emergency, I had someone let my two cats out after being inside for a few days,
which I have always done in the past. I returned after being in South Florida for one week. Upon driving
toward my driveway, my one cat was anxiously awaiting my arrival. However, my second cat was not
there. This was an immediate cause for concern, since being mother and son; they had always stuck
together. After a few days I knew that my cat was either abducted or was harmed. No way would he be
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around and not come home. The other evening I went over to my suspect neighbors home, which I
know often has been mischievous toward my property in the past, and asked him if he saw my cat. He
went on to tell me how big my cat is and how he is the "king of the neighborhood". I found this
conversation to be typical bull.... He said "don't worry it will show up soon!" Last evening I found my
dead cat lying by my pond with a possum chewing on its ear. I examined the body and found that its
neck had been broken with no other signs of any other wounds. I called the Humane Shelter and talked
to a Cruelty Officer who said" There is nothing we can do if you did not see anyone physically harm the
animal Is this the way it is? You have to prove a crime before they will investigate? Sounds a little
backwards to me, but then again I often forget where I am at.
Feb 21, 2005 Plaintiff sends letter to Fulton Bank regarding the death of Thomas Caterbone and the
alleged indiscretions and illegalities of the activities of Fulton Bank.
Monday, February 21, 2005
Project Hope
Mr. Scott Smith
Fulton Financial Corporation
One Penn Square
P.O. Box 4887
Lancaster, PA 17604
Dear Mr. Smith:
The reason I had called you on Friday morning was to discuss an outstanding issue with you. I am not
threatening you or coming to you as an adversary, but rather just trying to understand how your
institution can be so cold and rude to my family. On Thursday I visited the Manor Branch to discuss the
account for Tom's Project Hope, our nonprofit foundation that advocates awareness for suicide
prevention, with a focus for teenagers. Of course this foundation was founded after the suicide of my
youngest brother, Tom, in 1996. Well, I never had so much trouble trying to gain access to our
account's statements than I did on that day. All that I heard was how much I would have to pay to get
copies of the statements. Which in itself is a little disheartening, considering we are a non-profit giving
something back to the community. We are a major donor for CONTACT Lancaster. And it is this
attitude that inspired me to address the very reason Tom's Project Hope was unfortunately founded. I
had asked the Customer Service person what would happen if I made an attempt to deposit a check in
an account that did not have funds available at that time. She said "we have to give you the choice to
deposit the check or wait until there are funds". I said are you sure, she said "oh yes, you have the
choice to make the deposit or not". I said that is what I thought was the policy or rule. In 1996 my
brother, Tom, had his accounts with your bank. He was given a check in the amount of approximately
$60,000 by an account from Ms. John Depatto.
Forgive me but I do not have the energy to retrieve all of the details at this time. My brother went to the
Manor Branch to deposit that check, and was refused on at least 3 occasions from making that deposit.
I know this because he was calling me asking for advise and help. I remember telling him to seek legal
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counsel because this was not right. Your tellers refused to take the check for deposit because there
were no funds available. I kept telling him that this was wrong and that he should make the deposit
incase funds became available the check would be honored. But your tellers kept refusing to make that
deposit. I then went on to learn that funds did become available and were paid to other entities that had
NSF checks waiting for funds, which would have been behind my brothers check had your tellers
accepted that deposit. If you carefully review the financial problems my brother encountered prior to his
death, you would see that this was the one transaction that started a spiral of events that caused him a
great amount of stress and duress. And I know this because I was trying to help him. I eventually took
him to the emergency room of St. Joseph Hospital just 4 days prior to his death.
Now, Sir, you tell me how you would feel if you were in my position, and what would you want to
happen. I have kept this to myself for far too long, and since I have had my own problems with your
institution in a similar way back in 1987. I would like to understand why we are treated like this, and
ask that these matters be addressed. Put yourself in my position, would you want anything less?
Feb 22, 2005 Plaintiff sends email to Lancaster District Attorney Donald Totaro after Supreme Court
announces the Supreme Court of the United States is reviewing Lambert Case, one day after Plaintiff
reviews affidavit for the first time in 7 years.
Dear Don:
Just so there are no misunderstandings, I have never had, nor do I have now, any information
regarding the Lambert proceedings. I have never spoken to anyone concerning the same. I am very
suspect as to the timing of this announcement and find it very disturbing given the document that I had
innocently resurrected after 8 years. My only intent in writing that document was to find resolve for my
own tragic situation. I believe a jury trial would have been the only fair way for an equitable resolution
to this case. Had that occurred in the beginning, I don't believe we would be confronting this issue
today. I meant no disrespect toward your office or that of the state. As far as the police, it is the same,
except that I was very angered at the few that have treated me with such malice, which is in no way a
condemnation for the men in blue. I was literally fighting for my life, and still continue to this day.
Feb 26, 2005 Plaintiff sends letter to President Bush and White House staff addressing concerns
regarding National Security Issues and this case and receives positive signal to proceed to court. Iraq
National Security
To: President George W. Bush
From: Mr. Stan Caterbone <amgroup01@msn.com>
Subject: Write a Supporting Comment on National Security (Iraq)
Dear President Bush:
I need to know if any information contained herein compromises the security of the United States of
America. I have been getting mixed signals as to this question, and my life has been constantly
Threatened because of this document. I would submit to a polygraph to verify the credibility of any of
the facts contained in this document. I was the sole author of this writing back in 1998. If you believe
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that this document does threaten our National Security, I would like to personally deliver the
accompanying information assets to yourself or the National Security Agency upon request. If you
believe that this document does not compromise the National Security in any manner, then I would ask
that you uphold my civil liberties in continuing my efforts to adjucate these matters and find an
opportunity for remedy in the appropriate court of law.
Mar 14, 2005 Plaintiff files complaint to the American Civil Liberties Union of Philadelphia, PA after the
Intake Director directed plaintiff in filing protocols.
March 14, 2005
American Civil Liberties Union Of Pennsylvania
Philadelphia, PA
intake@aclupa.org
Re: Complaint
I have had many persons levy attacks and harassment upon me with explicit statements defaming my
character and slandering me with such statements as calling me "insane, crazy and nuts". I have been
abused, both emotionally and physically, which are a matter of record, by the Southern Regional Police
Department, formally the Conestoga Police Department. I have had several fabrications and false
reports concerning alleged suicide attempts, all of which have been proved to be total lies. There has
been total disregard for my civil liberties and numerous violations of my civil rights. All of these
incidents are intended to provoke and illicit the very same behavior they accuse me of; that of being
mentally unstable.
The reason for this is simple, to discredit my allegations and to prevent me from taking legal action and
to block access of due process against the private and public entities of the County of Lancaster, and
the Commonwealth of Pennsylvania. These attacks, harassment, and intimidation began in June of
1987 and continue today. In the last several weeks, in the matter of 4 days, I was detained and abused
by Police in the middle of the night on 2 different occasions. At 4:00 am one morning a person called
911 and reported that I had emailed a message threatening to commit suicide, proven to be a lie. I had
a Police Officer raised his nightstick and threaten to hit me while he was in a violent rage, only to have
another officer take step in and disarm him. I have had the Police literally break into my home, because
I would not open the door, for fear of my safety after being abused the previous day. The officer
handcuffed me and shoved me around because I would not admit to wanting to kill myself. In the last
several weeks I have had no less than 6 persons attack my mental stability and in an effort to break me
emotionally. In 1987 I had made public allegations of fraud against a Defense Contractor, International
Signal& Control (I was a shareholder), after a meeting in which they wanted me to finance some
questionable activities. From that meeting forward, these illicit and malicious acts have been occurring
quite frequently. It cost me money, financial opportunity, friends, time; and everything imaginable
except my life. And there was at least one attempt on that. In 1987 ISC was in the midst of a multimillion dollar merger with the British Defense Contractor, Ferranti International. My allegations caused
grave consequences to that deal. Four years later executives of ISC were indicted for the "largest fraud
in U.S.
History"; ($1 Billion dollars), and for exporting arms to Iraq by way of South Africa. In 1987, when I
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made these allegations, I was making the first digital movie; ironically, I received the original patent
research materials days after that meeting with ISC, from a prominent patent law firm in Philadelphia. I
have been
Arrested at least on 6 occasions, and the most outlandish, for stealing my own files from my own
office. I have spent 6 days in prison. I have been taken to the Hospital on 2 occasions, and have been
detained by police on several other occasions for persons making false claims that I threatened to
commit suicide. I have never been convicted of any crime, and all charges are conveniently discharged
before any court proceedings. All charges of suicide have been proven to be false allegations and
fraudulent false reports. In the last week, I had obtained my medical records from the Regional Medical
Center, while I was maliciously and fraudulently admitted there after my arrest in 1987, and there are 3
reports from 3 different psychiatrists which all reveal that there was never any attempt by anyone in the
Hospital administration or medical staff to validate any of my statements; which in and of themselves
were used to indict me and support the diagnosis of manic depression. Of, course, all of my
statements were true, which all are methodically proven in the following supporting documents. I have
had my airplane, loaded with all of my files, repossessed in the middle of the night by the Common
National Bank of Lancaster (Mellon), before any payments were due. This happened immediately after
my meeting with International Signal & Control, in 1987. I was trying to find safe haven in Stone
Harbor, New Jersey, where we were making a movie. Tony Bongiovi, of Power Station Studio in New
York, had solicited me to help him produce the 1st Digital Movie, again in 1987.I have been precluded
from any seeking any kind of remedy in the courts due to the sensitive nature and involvement of
National Security issues. It has been reported that the CIA and National Security Agency were all
involved in covert and possibly rogue activities with ISC and the export of arms to Iraq (Cluster
Bombs). This was one of the questions that Robert Gates had to answer in his Confirmation Hearings
for Director of the CIA in 1990 by the Chairman of the Committee (I have the CNN video). There was
also a "Presidential Finding" that was said to be filed by then President George H. Bush regarding the
same. The following are supporting documents and complaints that I filed and are forwarding to you:
March 23, 2005
Email to Phillip Wenger
President of Fulton Bank
Lancaster, PA
Phil:
For the Record1.

The Project Hope Account; Project Hope was founded in 1996 with it's mission stated in its
non-profit organization charter to raise funds for the intention of contributing to the education
and awareness of mental illness and suicide prevention. Since it's inception, I was the sole
administrator of all monies that were dispersed and donated to various local organizations to
further that cause. These relationships included; The Lancaster County Mental Health
Alliance, The Schreiber Pediatric Center, Contact Lancaster. I also was responsible for the
local production of the video "Numbers Don't Lie" (educational video for teenage suicide
prevention) and distributing that video to a host of local schools, churches, and faith based
organizations. Since about 2001, Project Hope has not made any contributions from it's

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account, while at the same time continuing to raise funds from the annual golf tournament. In
excess of $9,000 was accumulated. Every year I questioned Phil and Mike about the
contributions and what organization they were going to give the money to. In December of
2004, Lois Gascho, Executive Director of Contact Lancaster, personally called me asking if we
could help her with some money. At that time, her affiliation with the League of Churches had
been terminated and Contact Lancaster was without funding, and the 24/7 Suicide Hotline for
Lancaster was at risk of being shut down. I told her I would contact my brothers and get her
some help. There was an article in the Lancaster Newspapers about the funding problems and
I emailed Mike, Phil, and Jimmy Karpathious the article and message that Lois called me
asking for help. Nothing was done. I kept trying to tell them that they were not operating the
Project within IRS guidelines, and their non-profit tax-exempt status was in jeopardy for not
distributing the monies accumulated, as required in the IRS regulations concerning the same.
When I was down at Mike's last month, I found the account statements for Project Hope and
being that I am a Signatory on the account, took the entire file with me and started to disperse
the monies. I made one check out to Lancaster Contact for $2500. When I met with Lois
Gascho of Contact Lancaster to give her the check, she wanted to give me a tour of the facility
where the suicide hotline operates. While visiting, she was saying how difficult it is to find
volunteers to staff the hotline. I suggested that I could design systems, with technology, that
could allow volunteers to staff the hotline while working from home. This would help Contact
Lancaster a great deal in attracting more volunteers to help staff the hotline. Remember, the
hotline is located downtown, and volunteers must come and go during all hours of the night to
staff the hotline. I designed a conceptual system and called D&E Communications to provide
a proposal to provide the required software and telecommunications technology to build the
system. I expect to receive that proposal on Friday. I will be making a legal challenge to gain
control of that account with the Internal Revenue Service and the Tax-Exempt status of the
Project.
2.

Fulton Account When my Mom got sick while in Florida, it was determined, by her, that she
could not live alone anymore. Our house at 1250 Fremont Street was in dire need of painting
and other maintenance for sometime. I told my mother that I was going to do these tasks now,
incase we have to sell the house. They house is 2 stories, which is more difficult for my
mother to live in. In January I decided that I would make sure the house is ready to put on the
market by springtime, and if we decide not to have to sell the house, it would be already done
and could be sold at anytime without any repairs needed. At the same time, I setup the Fulton
Account with online banking so that I could manage my mothers bills, and pay them from
Lancaster without having her try to take care of this herself. My mother memory has been a
deteriorating problem since the fall of last year. To give you an example, while in Florida last
month, I was taking my mother out for breakfast, we were driving around looking for a
restaurant, and she looked at me in the car and asked if we had eaten yet! She agreed that it
would be best that I manage her bills, hence the Power of Attorney for the Fulton Account and
online banking. The $2,000 transfer was for the renovations at 1250 Fremont that I am
currently doing. I will now fund that project myself, because I do not want to be bothered with
this at a later time. So, there you have the truth about the accounts. So be it.

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May 2, 2005 Plaintiff files a complaint with Capital Blue Cross
May 2, 2005
Capitol Blue Cross
Adult Basic Program
P.O. Box 777014
Harrisburg, PA 17177-7014
Re: Policy H200460959 & Policy Laps
As per my meeting in with your customer service representative on Friday, April 29th, at your home
office in Harrisburg, this is a letter of appeal for the lapsed policy and also a letter containing the
complaints concerning the charges from the Lancaster Regional Medical Center and Dr. Laird, the
attending emergency room physician, on February 19th, 2005, as per the request of the customer
service representative.
1)

As per the lapse in policy, I was told by Kay Richmond, of Cash Processing Services
(717-541-7262) on several phone calls that there was a 30-day grace period. She had told me
that although it is not stated, there is a 30 day grace period for your policy. I had called
because my mail has been tampered with, and I questioned the rule of no grace period, and
the policy being dependant on Blue Cross receiving my payments via the mail. If this person
who misrepresented herself to me as a representative of your company was not who she said
she was, this would certainly not be the first time. Enclosed you will find a complaint that I
filed with the Agent Shannon J. Sarsfield, of the Pittsburg Regional Office of the PA Attorney
General. In that complaint I stated, My telephone has been used as a means of harassment
and intimidation, with my calls often being intercepted, misdirected, or impersonated. See the
enclosed copy of the complaint.

2)

As per my reason to visit your home office on April 29th, to discuss the charges from the
emergency room visit on February 19th, I have enclosed all relevant documents for your use
in determining the validity of the charges from both Regional Medical Hospital and the
emergency room physician, Dr. Laird. Please direct any and all communications to me at the
above address or amgroup01@msn.com, or phone 717-380- 5903.
June 2, 2005

Commonwealth of Pennsylvania
Judicial Conduct Board
RE: Commonwealth of Pennsylvania v. Stanley J. Caterbone
District Court 02-2-06
Docket Number NT: 0000132-05
Commonwealth Court of Common Please
Appeal Docket No. CP-36-SA-00000141-2005

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Explanation of Complaint
1.

Previous to hearing, I entered the offices of the District Magistrate and requested a meeting
with him to review the rules for procedure for his courtroom. He belligerently yelled at me and
told me that I will determine who is guilty in this case and threw me out of his office. 2. I
immediately contracted the Lancaster County Court Reporters (LCCR) service to record the
hearing.

2.

I requested and paid a service fee to have 4 witnesses subpoenaed for my defense. Prior to
the start of the hearing, the District Magistrate never gave me an opportunity to explain the
reason for calling my witnesses, and collectively dismissed all of my witness without an
opportunity for me to explain how they were involved with this case. During the brief
discussion that was on the record, the District Magistrate intimidated and threatened me with
court sanctions when I tried to explain how the witnesses did have personal knowledge
regarding the case. Two of the witnesses were officers of Lancaster County and were called by
me to investigate a crime, in which both refused.

3.

At the conclusion of the hearing the District Magistrate threatened me with offensive language
again with court sanctions for merely trying to understand why he was violating the rules of
conduct and the rules of procedure for the Commonwealth of Pennsylvania.

4.

A few days after the conclusion of the hearing, I entered the offices of the District Magistrate to
pay for the fines and penalties sanctioned by the court. I first, asked whether I would have to
pay before I entered my appeal to the verdict. They refused to provide any explanation, other
than you will have to get an attorney, we cannot answer that question. I immediately paid the
fines knowing that I would appeal the case.

5.

After receiving the transcript for the LCCR, I found a blatant lie in the transcript. When asked
whether a witness had personal knowledge about the case, the transcript reads NO. Now
before I subpoenaed my witnesses, I reviewed the rules of procedure and was knowledgeable
of the rules for personal knowledge of a witness, and would not have answered no to that
question because they did have personal knowledge.

6.

The District Magistrate was intimidating me and obstructing justice by trying to deter me from
filing CIVIL ACTION NO. 05-2288 IN THE UNITED STATES COURT FOR THE EASTERN
DISTRICT OF PENNSYLVANIA, which I filed on May 16, 2005. The case was filed with a
Motion to Seal on the same day.

PRIVATE
CRIMINAL COMPLAINT
Docket Number:
The acts committed by the accused were: (Set forth a summary of the facts sufficient to advise the
defendant of the nature of the offense charged. Activation to the statute allegedly violated, without
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more, is not sufficient. In a summary case, you must cite the specific section and subsection of the
statute ordinance allegedly violated.
Defendant did knowingly and willingly block plaintiffs access to the door to exit store in an attempt to
intimidate and harass, and after plaintiff tried to avoid the defendant and exit the doorway, defendant
did engage in an illegal sexual act by grabbing and squeezing the defendants buttocks with an
inappropriate gesture with the defendants finger while squeezing. This lude act was in the strictest
violation of Pennsylvania statutes concerning sexual harassment. Witnesses were present both behind
the checkout counter and waiting in line at the checkout counter. Plaintiff requests the Commonwealth
of Pennsylvania to prosecute the defendant to the fullest extent of the law. All of which were against the
peace and dignity of the Commonwealth of Pennsylvania and contrary to the Act of Assembly, or in
violation of and (Subsection) (Section) of the (PA Statute). I ask that process be issued and that the
defendant be required to answer the charges I have made.
I verify that the facts set forth in this complaint are true and correct to the best of my knowledge or
information and belief. This verification is made subject to the penalties of Section 4904 of the Crimes
Code (18 Pa.C.S. 4904) relating to unsworn falsification to authorities.
June 11, 2005
Defendant did knowingly and willingly block plaintiffs access to the door to exit store in an attempt to
intimidate and harass, and after plaintiff tried to avoid the defendant and exit the doorway, defendant
did engage in an illegal sexual act by grabbing and squeezing the defendants buttocks with an
inappropriate gesture with the defendants finger while squeezing. This lude act was in the strictest
violation of Pennsylvania statutes concerning sexual harassment. Witnesses were present both behind
the check*out counter and waiting in line at the checkout counter. Plaintiff requests the Commonwealth
of Pennsylvania to prosecute the defendant to the fullest extent of the law. Verify that the facts set forth
in this complaint are true and correct to the Recent Police Reports & Status of Ongoing Investigations
1.

Break-In reported on June 12, 2005: As reported to the officer, Adams? who came to take
my report, I left my home at approximately 2:30pm, with all doors locked. At approximately
9:15pm, I entered through my garage door and found my back door wide open. I also reported
a Honda file missing, which I have since located.

2.

I am requesting the status of the complaint that I reported to Officer Berger on June 10
concerning the sexual harassment by Mr. Thomas Grassel on the same date.

3.

During my visit by the officer on June 12, I again asked if anyone in the department had
questioned Mr. David Pflumm regarding access to my home. As I have stated in just about
every complaint about a break-in over the past six months, On Thanksgiving day, 2004, Mr.
David Pflumm, his son Keagan, and daughter Lizzy, approached my home. I wanted NO
personal contact with them, and made sure my doors were closed and locked. After several
minutes of knocking on my back door, I went down to the basement hoping they would leave.
They instead went to my front door and basement door and kept knocking. I was located in the
rear of my basement, waiting for them to leave. Suddenly, Lizzy and Keagan appeared in my
basement asking why I did not answer the door. I quickly asked them how they got into my

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house. First they said the door was opened, and then they said Keagan used a credit card to
open my back door. They said Dave was upstairs in my kitchen. We walked upstairs and I
quickly asked Dave how they got into my house, he responded, We have lots of keys. Now
with all of the reports of people breaking into my house, and the fact that I first reported the
above event to Officer Berger in December with the report of my missing remote control, I will
again ask you why your department refused to question the Pflumms regarding keys to my
house?
4.

During my interview last evening I showed the officer the letter from Mr. David Pflumm dated
June 2, 2005, which was served to me by a Pennsylvania Constable from District Justice Leo
Eckerts office at approximately 9:30 am on June 10th on Stone Hill road in front of my
mailbox. The officer said, We have a copy of that letter, and are aware of that. I requested
the officer to take the letter and my response, sent via facsimile to Pflumm Contractors on
June 10th, to you. The officer refused to take the letter. I asked him to take my statement
regarding the same, and he refused. I asked him why he would not take my statement, if you
have a copy of the complaint from Mr. David Pflumm? He said, I am going home. I called
him corrupt and said that the whole department was corrupt. I attest to the above statements
as the truth and request a copy of all of my complaints, reports, and calls to your department,
as defined and authorized under the Freedom Of Information Act, and according to the laws
governing the same by the Commonwealth of Pennsylvania and the federal rules governing
the same.

Friday, July 1, 2005 12:00 PM - 1:00 PM: Stan Caterbone files for Chapter 11 Bankruptcy Protection in
the U.S. Eastern District Bankruptcy Court in Reading, PA at the Clerk of Courts, pays fee 255.00.
September 30, 2005 Yarnell - Security system malfunction garage door not on line <end>
October 01, 2005 Yarnell Calls 2 times Woke and found 2 calls from Yarnell Security <end>
October 02, 2005 Yarnell Security Dispatcher said someone entered house, aborted alarm at 9:21am
and changed the Master Code. Said she would reset. Code changed from 4115 to 2115. I told her she
had a security breach. Mr. Yarnell called me back and told me to stop calling his office.
October 04, 2005 Judge Mary McLaughlin Resubmit original complaint of 1998 affidavit via fax <end>
October 05, 2005 AB UNITED STATES TRUSTEE'S RESPONSE TO ORDER TO SHOW CAUSE
WHY THE DEBTOR'S BANKRUPTCY CASE SHOULD NOT BE REINSTATED On September 21,
2005, this Court entered an Order to Show Cause why, in light of and Brief, his ...
October 05, 2005 Comcast Cable
October 06, 2005 Superior Court of California Filing Filed petitions for estate, and cause of death.
<end>
October 06, 2005 East Lampeter Police Arrest Filed with California Superior Court for Sammy's
Petitions via Willow Street Post Office. Then headed to Cingular on Lincoln Hwy East, stopped for
lunch at Brasserie. Girl jumped in front of me going in, Sheryl Crow look alike. 2 girls, noticed SU, with
convers...
October 07, 2005 Paid Conestoga Police Speeding Fine From Sunday
October 07, 2005 District Justice Savage see 1987 <end>
October 10, 2005 Patio Table Smashed
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October 10, 2005 Southern Regional Police Visit Chief Firell responds and takes report - said he would
send assignment number for insurance.
October 11, 2005 AB Order
IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF PENNSYL.VANIA
IN THE MATTER OF: STANLEYJ. CATERBONE, Report to Harleysville A. Mazzuchi CIVIL ACTION
NO. 05-3689 BKY. NO.
October 13, 2005 Cingular 4 Customer Service Reps will provide an audit within 7 days.
October 14, 2005 Superior Court of CA call Ann, wanted to know what to do with docs about Sammy.
Never called back. Left 2 messages.
October 17, 2005 Harleysville Insurance Letter Still under investigation, reason for case not closed
when due.
October 2001 Sovereign Bank would not open DIP Account. Kept giving me a hard time.
October 19, 2005 Hugh Ward, Dept of Justice Do not need DIP account, and do not have to submit
anymore docs for first meeting. Instructions will follow. <end>
October 20, 2005 forum post would not give me a private meeting. told 3 people in lobby. <end>
October 22, 2005 East Lampeter Citations Docket No. CR-408-05 OTN- L260045-2 Hearing Nov 17,
3:00pm
October 28, 2005 Meeting with Judge Mary McLaughlin met with her, and at least 4 staffers <end>
November 01, 2... District Justice Savage Meeting
Requested a change of venue. DJ Williams? told me to go to County Court House to the Court
Administrator and get Change of Venue
November 01, 2006 Lancaster County Court Administrator Will change to another District Justice.
Cited the Affidavit and 1987 abuse in Giest Road during arrest by MT Police, Horton and Reese.
November 04, 2006 called Hugh Ward about appointment Submittals before meeting. Resend original
submittals. 48 hour notice to reschedule. was not in, left message to call if we needed to meet, told him
by back was bad and not able to drive, reschedule for mon or tue.
November 04, 2006 Cheryl Cancels Appt 1st Kettering said ok 6:45, and then called five minutes later
to cancel with Cheryl. said she was booked.
November 05, 2006 Called Mastropietro and Dr Pool called for appt - both said to go to emergency
room <end>
November 06, 2006 Lancaster Regional Hospital Emergency Room too much pain. Went for pain pills.
Did not help
November 14, 2006 Lancaster County Criminal Prothonotary Office 2 documents were not served
including the notice for hearing and the notice regarding appeal decision. Clerks were not very helpful,
and kept giving excuses as to why I never received any notices. Always quick to take my mone for the
2 copies.
November 17, 2006 656-2191District Judge Ron Savage Court Hearing
November 21, 2006 Creditors Meeting Courtroom 1
November 22, 2006 Joss Package per Feb 05
November 29, 2006 Chapter 11 fees Paid fee schedule. Clerk provide details for Dec 15 creditors
meeting, along with mandatory requirements. Addendums and supplemental to schedules for creditors.
November 30, 2006 Charlie Smithgall visited with Dee, she explained the proposal for the Lancaster
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Press Building and we discussed the skyline debate and project.
December 01, 2006 Reading Court Hearing
December 02, 2006 East Lampeter Addendum for Hearing East Lampeter Citation Addendum to notes:
1.

After walking outside I tried to give my credit card to the officer to pay for my bar tab, officer
refused to take the credit card so I threw the credit card on the ground. I told the officer that
the

Charges withdrawn - May or may not be reissued by Judge Ruetter. What a crazy discussion and
hearing. Judge gave me the finger in the end while pointing to PA on a piece of paper. I'll save the
specifics and details for myself on this one.
December 06, 2006 eBay account hacked 23 Ipods listed from my store from Beijing China
December 06, 2006 IFCC FBI I05120608348825 IFCC internet fraud account 05120608348825
December 07, 2006Dr. Black request for records
December 08, 2... IFCC FBI I05120804514805 I05120804514805 You are about to submit a complaint
with the IFCC. Please review your information prior to submission.
December 09, 2... ujoe again trouble for myself?
December 12, 2... CD/DVD Writer Hacking tried to restore system config - did not work tried to install
new cd/dvd writer - did not work said to reinstall operating system and reinstall all software was able to
write to 3 cd on Iomega drive before it was hacked early am
Comcast Cable Disconnected?
December 15, 2... Meeting of Creditors Reading Courtroom 1 3rd Floor610-320-5255 341 Meeting with
Mr. Ward of Department of Justice, No Creditors attended. Routine meeting to clarify under oath
schedules submitted. Said to submit all filings to Reading Courts and would only hear from DOJ if
anything additional is needed. Asked when...
December 15, 2... Groff Heating & Cooling
December 17, 2... ibwsc
December 17, 2... Judge McLaughlin Hearing Request
Stanley J. Caterbone (pro se)
220 Stone Hill Road
Conestoga, PA 17516
Honorable Judge Mary A. McLaughlin
December 28, 2... Cyber warehouse Restore System $50 to restore to factory settings $45 wireless pci
card for old HP Laptop <end>
December 31, 2... Depart for Los Cabos SouthWest Fl to Houston 7:20am
charged me an extra $25 for luggage that they ended up loosing later in the day in Houston. <end>
January 01, 2006 Continental Airlines Could not talk to anyone about problem
finally at about 8:30 talked to Continental at ticket counter, no flights, all booked until Wednesday. Put
me on standby for other flights that day, but said probably would not get on a flight. Kept arguing about
problem with several ticket agents, very...
January 02, 2006 Nikki Beach
January 02, 2006 Breakfast at Nikki Beach
Stayed on Beach all day, had to buy shorts, tshirt, and sandals. Went to eat and came back to bar on
beach at night, re Iraq, Sheryl, and music. <end>
January 03, 2006 Finally got a flight out to Houston again, abuse and intimidation by Continental
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employees, not happy about me getting a flight. Had to pay additional charge of $100 for ticket.
January 05, 2006 Letter to Editor Drew Anthon Civility, professional etiquette, and the public discourse
for the Lancaster Convention Center debate. Tonight at the meeting at Farm and Home, I had
pproached Mr. Drew Anthon and politely asked him to discuss and settle my civil complaint. This was
th...
January 05, 2006 Complaint number: I06010506177009Password: ludage On January 30 I had
planned to visit Los Cabos, Mexico, for a business trip. I had used the Internet to locate the airport
(PTO) for that destination to locate and book the necessary travel accommodations. PVR (Puerto
Vallarta, Mexico) appeared on sev...
January 05, 2006 Judge Mary McLaughlin, J Order to Serve Notice
IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE v. LANCASTER COUNTY PRISON, ET EL NO. 05-2288 ORDER CIVIL
ACTION
January 05, 2006 Complaint number: I06010506177009 FBI IFCC Complaint via letter
January 06, 2006 Complaint number: I06010506177009 USPS
January 06, 2006 Complaint number: I06010506177009 via USPS
January 09, 2006 Judge Twardowski Order of Creditors 610-320-5255 phone Ext 248 Kathy,
Twardowski Clerk Ext 243 Twardowski
January 12, 2006 Honda Inspection
January 12, 2006 Received Judge Mary McLaughlin Serve Order of Jan 5 2005
January 13, 2006 Lancaster County Redevelopment Authority Meeting with Randy Patterson Discussed Concerts, said Joe probably does not have any, was not interested in getting involved, said
not his responsibility, Barnstormers manage facility and their option. Said we keep going around in
circles.
January 13, 2005 Stanley J. Caterbone (pro se)
220 Stone Hill Road
the Eastern District of Pennsylvania (010...
610-320-5255 phone
Ext 248 Kathy, Twardowski Clerk Ext 243 Twardowski
UNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF PENNSYLVANIA
In Re: Stanley J. Caterbone Debtor Case No: 05-23059-tmtChapter: 11
January 17, 2006 FBI Field Office Called about computer hacking and intruders
January 18, 2006 PA Housing Finance Hearing 780-3937 780-4031fax
January 18, 2006 Notice of Service To Fed Civil Actions Mailed all complaints and Judge Mclaughlin's
Notice of Service Package, with the exception of Southern Regional Police Department <end>
January 19, 2006 Joe Pinto Village Clair Bros Email Stan- Thanks for your help on this!! Joe
Delivery Confirmation Label Number: 0103 8555 7495 2644 2732 Judge Thomas M. Twardowski,
Unite...
Filed Drew Anthon Default Notice and it was stamped in the Prothonotary office at 3:00pm by Audrey
January 20, 2006 Served Drew Anthon Default Notice Served Default Notice to Diane McMahon, the
Secretary in the Marketing Office of the Eden Resort Inn. She said Drew was out of the office, so she
gave the notice to Drew's Secretary while I was there. I went to have 1 drink at the Lounge Bar at the
Eden...
January 20, 2006 Meeting with Joe Pinto & Slide at Snow Magic
January 21, 2006 Yarnell Security Sys Letter YARNELL SECURITY SYSTEMS
131 ELMWOOD RD . LANCASTER PA 17602.717-399-3900 January 20,2006
PA 175 18Dear Mr. Caterbone, We
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Turns to a bitchy nagging wife. <end>
January 23, 2006 US Dept of Justice Hugh Ward letter U.S. Department of Justice Office of the United
States Trustee Eastern District of Pennsylvania 833 Chestnut Street(215) 597-4411 Suite 500 fax (215)
597-5795 Philadelphia, Pennsylvania 19107 IN THE COURT OF COMMON PLEAS OF LANCASTER
COUNTY, PENNSYLVANIA CIVLL ACTION - LAW PROJECT HOPE/ADVANCED MEDIA GROUP 220
Stone Hill Road
DRREESWOR ATN RESORT INN AND CONF...
Richard S. Solove, Esquire McNEES WALLACE & NURICK LLC
180 Good Drive
Lancaster, PA 17603 (717) 291-1177 Attorney I.D. #I7717 Attorney for Defendants
PENNSYLVANIA CIVIL ACTIO...
Barley Snyder, LLC, Attorneys at Law
126 East King Street
Lancaster, PA 17602-2893
28th Jan Auditorium Theater Chicago - On Sale Dec 10
Sale Dec 10 <end>
610-320-5255 phone Ext 248 Kathy, Twardowski Clerk Ext 243 Twardowski
UNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF PENNSYLVANIA
February 01, 2006 ANSWER TO FULTON BANK REQUEST FOR RELIEF FROM AUTOMATIC STAY
Local Bankruptcy Form 9014-3 UNITED STATES BANKRUPTCY COURT FOR THE EASTERN
DISTRICT OF PENNSYLVANIA
IN RE :
February 02, 2006 Judge Twardowski Feb 2 Order UNITED STATES BANKRUPTCY COURT
EASTERN DISTRICT 01: PENNSYLVANIA
In Re: Stanley J. Caterbone
February 03, 2006 Reminder to Artists or AMG/Interscope Send artists of label welcome letter <end>
February 03, 2006 Rcvd LC KEGEL KELIN ALMY & GRlMM response to Fed Civil Action
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
24 North Lime Street Lancaster, PA...
Woke up and found Ipod and Ring Missing. Ipod was crashed and charging in van. <end>
February 05, 2006 Conestoga Police Speeding Ticket
February 06, 2006 Ipod Found.
February 06, 2006 Donegal Policy Due $159
PAE 3015468 faxed to 426-7031 <end>
February 06, 2006 Manheim Township Police Order to Dismiss Federal cv05-0288 to Judge
McLaughlin
2005 to the Court requesting permission to amend his "comp
This Court by Order dated January 5,2006, directed Plaintiff to serve his summons and
IN THE COURT OF COMMON PLEAS LANCASTER COUNTY, PENNSYLVANIA CIVIL DIVISION
PROJECT HOPE ADVANCED MEDIA GROUP
220 Stone Hill Road
Motion Due Case No. CI-05-03644DREW ANTHON If you do not want the court to grant the relief
sought in the motion or if you want the court to consider your views on the motion, then on or before
February 8, 2006 you or your attorney must do & of the following:
McLaughlin Order for Extension of Time
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PHILADELPHIA ATLANTA CHARLOTTE CHERRY HILL CHICAGO DALLAS DENVER HOUSTON
LA5 VEGAS LONDON NEW YORK NEWARK SAN DIEGO SAN FQANCISCO SEATTLE TRENTON
WASHINGTON, DC WEST CONSHOHOCKEN WICHITA WIIMINGTON LOS ANGELES A
United States District Court Eastern District of Pennsylvania
February 10, 2006 Drew Anthon Motion Due
Richard S. Solove, Esquire McNEES WALLACE & NURICK LLC
180 Good Drive Lancaster, PA 17603 (717) 291-1177 Attorney I.D. #I7717 Attorney for Defendants
PLEAS OF LANCASTER COUNTY, PENNSYLVANIA CIVIL ACTIO...
Took back digital box for replacement, gave colored woman bankruptcy papers for her superior, was
again going to turn off cable.
February 10, 2006 Drew Anthon Notice of Items Feb. 10 2006 IN THE COURT OF COMMON PLEAS
LANCASTER COUNTY, PENNSYLVANIA CIVIL DIVISION
PROJECT HOPE ADVANCED MEDIA GROUP
220 Stone Hill Road
February 12, 2006 Joe Roda & Diane Nast email Feb. 12 2006 Dear Joe and Diane: These are the
documents I currently have filed in Federal courts. I just saw you were back to work, so I thought I
should share these with you. Please understand that the quotation of my statement
Re: Do you know my cousin, Diane Nast?
To: <amgauctions@comcast.net>Date:...
Again went to Comcast after digital service was again shutt off. Again, another useless phone call to
customer service. Told them that Mable of the Legal dept processed bankruptcy order. After about 20
minutes, said service was restored.
February 16, 2006 PA Housing Finance Letter
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516 Hearing Request, PHFAIHEMAP, 21 1 North Fr...
February 21, 2006 Fulton Hearing in Reading
1. If you do not want the court to grant the relief sought in the motion or if you want the court to
consider your views on the motion, then on or before February 8, 2006 you or your attorney must do &
of the following:
Judge Twardowski Feb 2 Order
February 22, 2006 Visit Comcast to confirm appt.
February 22, 2006 - Lancaster County Commissioners Meeting Art Morris, and Planning Commission.
Walked out after hearing they awarded the consultants bid 1 week before RFP was due. <end>
February 22, 2006 Bball at F&M
Advanced Media Group 12 6/24/2006 9:39 AM
Start Subject
February 22, 2006 Suburban Cable Appt
Cable modem turned on before Comcast tech even entered my office, how could that happen? Blue
light on vonoge modem was lit for first time since Friday, the week before. <end>
February 24, 2006 Received Leo Eckert summons from Conestoga Police
COUNTY OF:
March 01, 2006 Lancaster County Commissioners Meeting
March 01, 2006 Lancaster County District Attorney Office Drop off letter to Donald Attorney <end>
March 01, 2006 Lancaster Chamber of Commerce Request 2006 fee schedule for Project Hope and
Advanced Media Group. See Sharon Roda, who works for the Economic Development and David
Nikollof. Did not know she worked there and asked
to visit with her.
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Tuesday
March 01, 2006 Visit Joe Pinto at Clipper Stadium Stopped by to see Joe about the concert schedule
for the summer. Joe was busy.
March 02, 2006 Phone call from Attorney JoLynn Stoy of PHFA Another argument about getting the
recording of my Appeal Hearing on Jan 18th in Harrisburg. She again tried to lie her way out of the fact
that they fabricated my statement in their finding. Hung up
on her. <end>
March 02, 2006 Mail Certified letter to JoLynn Stoy
March 02, 2006 Sheryl Houston Reliant Stadium Concert
Houston Rodeo with Concert March 02, 2006 Lombardos Restaurant Mike Lombardo will email
cemetery in Italy with deceased from Lancaster Family's
March 04, 2006 Interrogation
March 05, 2006 NSA
March 07, 2006 Hypnosis Seminar Talk to someone and they said smoking would be over at 8pm and
the diet would start at 8pm and end at 10. $59. fee to attend. The went to Dispensing com and had 2
beers, then to Alley Kat had 3 drinks and 3 cokes until 1:15am, then went home. Went back ...March
08, 2006
Desk Sergeant and tall shorthaired officer carrying black gym bag were at front desk. Laid my business
card on desk and asked if "they knew what chlorphorme was, and that I heard rumors around town that
someone was using that stuff, and they should clean...
March 21, 2006 Someone just shot at me At approx 6:30 am this morning I was out by the side of my
house in the woods tying up a tree and someone from the adjacent valley shot one shot which sounded
like it was it could have been at me. There were no hunters in the area that I could see. Their...
March 21, 2006 EXCELSIOR PLACE INVESTOR Excelsior to get new investor Partner to be revealed
today for E. King project BY PAULA HOLZMAN, Intelligencer Journal Staff Today's city Redevelopment
Authority meeting could break the deadlock on plans to renovate several & Finance Agency letter to
Lin Patch & JoLynn Stoy
FAX COVER SHEET
TO: Lin Patch, Appeals Officer HEMAP Appeals Unit
COMPANY: Pa Housing and Finance Agency
Caterbone DAT March 22, 2006RE COVER MESSAGE March 24, 2006 Sheryl on Date
See file folder for details
March 25, 2006 Key to Honda Stolen Mom's House and Billy Plank Found beer can in back yard, and
newspapers in kitchen. Noticed people may have been inside house. While there, white small car
pulled up in back beside Billy Planks truck, got out and crawled under truck. Was a clue about the key
under my van that was...
March 25, 2006 Went home to get key for Safety Deposit Box March 25, 2006 Hypnotized (Key) Fulton
Bank Safety Deposit Box Hypnotized with the Key Trick, Alarm went off on car, don't know how,
younger woman beside my car, lipstick. Lost key to ignition, got out of car, stood beside car, went back
into car and key was gone. Went to get key under car, and it was gone. Wanted...
March 25, 2006 Hypnotized (Key) Fulton Bank Safety Deposit Box Hypnotized with the Key Trick,
Alarm went off on car, don't know how, younger woman beside my car, lipstick. Lost key to ignition, got
out of car, stood beside car, went back into car and key was gone. Went to get key under car, and it
was gone. Wanted...
March 25, 2006 Gib Armstrong Office
Pick up Right to Know and Freedom of Information Act documents.
March 26, 2006 Arrived Home at 220 Stone Hill Road
Came home to wait for Sheryl's arrival. <end>
March 26, 2006 Sheryl Said she was at Alley Cat Sheryl said she was at Alley Cat to give Brett a
package, Brett said he would show her the way home. Said he had to take care of something, and said
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someone else would. 3 guys came in and Sheryl left. Lance and friends hook up with Sheryl. Lance.....
Ma.r..ch 26, 2006 Sheryl dad she was lost Said she was in neighbors driveway
March 28, 2006 Received Judge Fehling Order for Hearing UNITED STATES BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA IN KE: UNITED STATES BANKRUPTCY
COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA
All phone calls to State Police rerouted while trying to get Sheryl Help while persons try to break into
Hotel Room at the Chicago O'Hara Hilton
March 31, 2006 Wendell arrive in Lancaster Airport routed to Philly Lancaster Airport Tower rerouted
flight to Phil
March 31, 2006 Supposedly FBI arrives to Sheryl's Room FBI (imposter?) arrives at Chicago O'Hara
Hilton to Sheryls Room, Sheryl would not open door, said they were arresting persons outside Sheryls
room, said someone had gun
March 31, 2006 Call and Talk to Wendell & Bernice Crow
March 31, 2006 Sheryl Accused In Airplane Chloro & Mace Lead into plane 2 hours before original
flight 3 or 4 Men Chicago Police Imposter mace
March 31, 2006 Sheryl Flight to Hia Airport Flight to Harrisburg International Airport Arrival ETA at
MDT at 11:18 pm
April 01, 2006 Kathy (Crow) drives from NJ to Lancaster
April 01, 2006 Lance tries to land in LNS - Tower would not let land
April 02, 2006 Someone Enters 220 Stone Hill Road Ran out of house after someone hiding in
basement
April 02, 2006 Registration Stolen from Dodge Pickup
April 03, 2006 Sheryl on Flight to LNS connecting in Pittsburg
April 03, 2006 Person breaks into 220 Stone Hill Road Leave driveway and with pickup go to Wagon
Wheel for coffee and newspaper, group of Men laughing at me. I ask them if anyone of them was in my
house, stay out of house until 1:30pm.
April 03, 2006 Chlorophorme in car
April 03, 2006 Chorophormed released in Car
April 04, 2006 Sheryl Home in Kennett
April 04, 2006 Southern Regional Police Keep Pounding At Door Said they just wanted to talk, Fedor
and Chief Fiorell Security took picture. Said I was sick and wanted to help me.
April 04, 2006 Phil Called From Austin Texas Said Lance was out of town this week.
April 04, 2006 Fax Southern Regional Police Suit to Don Totaro, Lancaster County District Attorney
COMMONWEALTH OF PENNSYLVANIA COURT OF COMMON PLEAS LANCASTER COUNTY CIVIL
DIVISION Stanley J. Caterbone County of Lancaster, Pennsylvania :
April 05, 2006 Officer Buser/Lancaster General Hospital/Millersville Police/East Lampeter
April 05, 2006 Guess who's cooking in the Courtroom kitchen: Guests Downtown restaurant to host
fundraiser for MHA BY JUSTIN QUINN, Intelligencer Journal Staff Don't miss Guest Chef night at
Marion Courtroom. April 07, 2006 Conestoga Speeding Tickets & Inspection Hearing This court has
received your plea of NOT GUILTY to the above summary violation(s). The sum of $ 112.50 has been
accepted as collateral for your appearance at trial. Your trial has been scheduled as follows: PLEASE
TAKE NOTE WHERE BEARING WILL BE Sheryl at Trump's Taj Mahaj Atlantic City
April 08, 2006 Fox News' Sean Hannity is coming to town April 8 Consider Katie True an inspiration.
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The 41st District state legislator will be honored this week as one of "Six Inspirational Women of
Pennsylvania" by the Pennsylvania Commission for Women, which True once headed. Hospital
Missing Mail Civil Action Complaint given to Staff to mail at 1:00am missing, rest of mail shown to me
and was never mailed.
April 10, 2006 Dr. Pressley 2nd Opinion Dr. Bill Met with Dr. Bill, would not answer question regarding
verifying 302 Order.
April 11, 2006 Judge Anita Brody Appeal to Fulton Bank Stay Entered
April 11, 2006 Judge McLaughlin Order for Continuance to May 11 IN THE UNITED STATES
DISTRICT COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA Stanley J. Caterbone CIVIL
ACTION
April 12, 2006 Sent Transcript to Judicial Conduct Review Board COMMONWEALTH OF
PENNSYLVANIA JUDICIAL CONDUCT BOARD PENNSYLVANIPAL PLACE 301 CHESTNUT STREET
SUITE 403.
April 13, 2006 17101 717-234- 7911March 27,2006Stanley Caterbone220 ...
April 14, 2006 34 Foot Admiral Holiday Rambler Test Drove 30 foot <end>
April 14, 2006 The Sharks Live Walked in and wanted to pay for ticket, said wanted to see Gus and
walked into Village. Dave and Heather, Ken Ray & Carol, Den Lilly, Kratzert, Suzanne Porter, Brett,
Fred, Billy T. Joe Klaus,
April 14, 2006 Belvedere Inn Out with Sheryl (Washington D.C.) Sheryl gets room and goes out.
Someone again accosts her from her room
April 16, 2006 George at Village Would not let me back in. Said about ticket, and he would not let me
pay him for the ticket.
April 17, 2006 Cable Disconnected Paid Comcast at Office All Cable disconnected at telephone pole.
Sov Bank Project Hope Check #129 Susan Gibson would not turn cable and internet on. Said I had to
pay $990.42 <end>
April 18, 2006 Comcast Suit Fax to Anita Brody Re: Civil Action 05-2288 The 5 page fax you sent
through eFax.com to 12155802356 was successfully transmitted at 2006-04-19 00:28:29 (GMT).
receiving machine's fax ID: .____________...
April 18, 2006 Millersville Boro Police Report 872-4657 Patrolman Michael K. Schaeffer, who took
report on gave me incident no. 2006-MU-00509 Phone 717-872-4657 Fax 717-872-4705 10 Colonial
Avenue
COMMONWEALTH OF PENNSYLVANIA COURT OF COMMON PLEAS LANCASTER COUNTY CIVIL
DIVISION Stanley J. Caterbone Applied for Food Stamps
April 18, 2006 Pham Computers
Said could not order Avaratec Power cord, said it might be internal power supply.
April 18, 2006 Priority Mail Wcrow & Daile High Priority mail transaction No. 72 USPS 414408-9550
Advanced Media Group 220 Stone Hill Road Email April 17, 2006Mr. Dale High High IndustriesFrom :
Advanced Media Group <amgroup01@msn.com>
Sent : Wednesday, April 19, 2006 4:58 AM To : <comments@whitehouse.gov>
See Federal Civil Action No. 05-2288... Walked in to get a copy of Littering Citation, (Rick) Desk Officer
began yelling at me and told me that I was driving while drinking, even though my car was parked.
Officer asked for my key after he followed me out to my car, gave me a parking ticket fo...
April 22, 2006 Drove to get a paper. Took a shower at Mom's house to go back to Lancaster City Police
Station for my Key and license.
April 22, 2006 Lancaster City Police Station Went in to get license and key and Desk Officer (woman)
kept yelling at me and gave my key back and said I would have to come back tonight to get my license
back. Told me to get out of station and never to come back again!
April 22, 2006 Lancaster County Library Update calendar and email. Tried to lock me out of system.
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April 23, 2006 Sports Authority Propane Lantern
1 lantern
3 propane tanks
3 bags
30.42
April 24, 2006 LiHeap Application No More walking, told to come back tomorrow
Lois Gascho on vacation out all week.
April 25, 2006 LiHeap Application $600 from LiHeap, Bankruptcy papers faxed to PP&L; Docket Judge
Anita Brody Order of Oct 5 PP&L to turn on Electric on Wed am
April 25, 2006 Reading Court Hearing Parking Meter
April 25, 2006 Reading Court Hearing Parking Meter
April 25, 2006 Lancaster County Library Got MSN Alert for Reading Parking Ticket Hearing, called
District Justice in Reading
April 25, 2006 FBI Internet Crime Unit Reported calendar hacked and alert for Reading Parking Ticket
and Alert changed.
April 26, 2006 Judge Anita Brody Appeal Due
April 26, 2006 Judge Anita Brody Appeal Due
April 26, 2006 Freemont Street Went home
April 26, 2006 Sheryl Home Depot
April 26, 2006 Lancaster County Assistance Food Stamps Said denied last year because of resources
(5,000 in bank, credit card liability) Said denied last year because failed to show to interview. Would
not tell me how long to get food stamps
April 27, 2006 District Justice Ballentine Caterbone v. Comcast
April 27, 2006 Sheryl left for airport
April 28, 2006 Amended LGH & Southern Regional Police Department COMMONWEALTH OF
PENNSYLVANIA COURT OF COMMON PLEAS COUNTY OF LANCASTER CIVIL DIVISION Stanley
J. Caterbone COMMONWEALTH OF PENNSYLVANIA COURT OF COMMON PLEAS COUNTY OF
LANCASTER CIVIL DIVISION Stanley J. Caterbone to Lancaster General Hospital CIVIL COMPLAINT
CI-06-03349 Emily at information desk, called to corporate, would not give me directions to
department, served 2 copies to LGH and Dr. Pressley
April 28, 2006 Service to William Campbell of Southern Regional Police Left copy inside door. See
pictures.
April 28, 2006 Barnstormers Opening Game
April 29, 2006 Tommy's Anniversary Planted our garden.
May 01, 2006 Totaro's Office, Lancaster County DA Office Requested meeting, told to write letter.
Obstruction of Justice Southern Regional Police Shellenberger
May 01, 2006 Lancaster County Commissioners Office Copy of Letter to Henderson, tried to make
appointment, staff said will not see me for meeting.
May 02, 2006 Millersville Boro Police Incident Report Now, said cannot have incident report.
April 21, 2006
Advanced Media Group Stanley J. Caterbone
220 Stone Hill Road Conestoga, PA 17516Millersville Borough Police Department Michael K...
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May 02, 2006 Lance Look alike peddling on near Penn Manor Middle School
May 02, 2006 USPS Cyclist on River Road
May 02, 2006 Danny Hershey Talked to Danny for awhile; Gun Shop; told me about DA Detective M.
Landis being a "problem and a lunatic", kept telling me about him, said he lived near Dave on
Slackwater Road, asked if I was having a problem with Dave, and said he was a problem, aske...
May 03, 2006 Sheryl tried to go home
May 03, 2006 Talked to Chief Rochet via phone of Millersville Boro Police requested incident Re... Told
me to call Sue Moyer of the Lancaster County DA office, would not give incident report FAX COVER
SHEET TO COMPANY FAX NUMBER FROM DATE RE COVER MESSAGE +1-7172953693 Stan
Caterbone Ma5y/ 0033/,0 260 90:628 DATE RE COVER MESSAGE +1-7172934470 Stan I think it is
the judicial branch of government, not the executive; but thanks for the information anyway. I will
handle the problem we discussed today in another manner. As I stated, I will not put myself in harms
way by going near Officer Buser of So... May 04, 2006 Civil Complaint Pam Pflumm AOPC 308A-05
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: Lancaster CIVIL COMPLAINT Magisterial District Number: Ma0y2 0-24-,0 AOPC
411A-05 1-2 COMMONWEALTH OF PENNSYLVANIA COUNTY OF:Lancaster Magisterial District
Number : FAX COVER SHEET TO COMPANY FAX NUMBER FROM DATE RE COVER MESSAGE +
1-5738889802 Stan Caterbone
5/04/06 4:03 AM could you please confirm the where...
2006 Business Law Seminar: Lancaster
May 08, 2006 Lancaster Aiport
May 08, 2006 Richard Plum phone call Harleysville Insurance Company Said he would overnight new
affadavit, argued about why no one alerted about deficiencies
May 09, 2006 Schwartz rumor, Tim Schwartz threatened my life and Sheryl's
May 10, 2006 Fulton Bank Commercial Loan Application Branch Manager refused to provide
application or any documentation
May 10, 2006 Fulton Bank Commercial Loan Application Bill Dougherty, Branch Manager on 1st floor;
would not provide me with an application. Process was to provide financial statements; kept requested
documentation as to application and process, refused. Said did not mail it, would go out today, again
lied.
May 11, 2006 Episode: Sheryl Crow, Wildflower Tour From New York Show: Soundstage Episode:
Sheryl Crow, Wildflower Tour From New York Network: (PBS) Public Broadcasting Service: 1:00
About: Soundstage: Sheryl.. Capt Palmer? Said he was Dick Shellenberger brother-in-law, wanted to
talk to me, kept backing me up while trying to weigh envelopes, told him to get away, I was busy,
walked outside and waited, told him I was busy, (chlorophorme)
May 15, 2006 Availability Staffing Went to talk to Tony Spinello, would not meet, met with Amber.
May 16, 2006 Judge Brody Brief Due
May 17, 2006 FBI Harrisburg Office Obstruction of Justice Complaint Travel to Washington DC
May 17, 2006 Help Make LIVESTRONG DAY One to Remember "It's time for our nation to address our
issues. Together, we can help change things for the better. As a team, we can make a difference for
survivors." -Lance Armstrong
Schedule appt.
May 17, 2006 Senate Select Committee on Intelligence 2 photographers take my picture outside
Hearings Gave phone number to call. FOXNews.com - Intel Panels Hear From NSA Director - Politics
Visit and request meeting with receptionist or another attorney
May 18, 2006 Availabity Staffing Follow up with Amber, said she had someone else in office that could
help find some part-time consulting. Talked with . Did not even read resume, told him if he had a
client that wanted to increase profits to call me. Said only dealt with manufacturing,..
.
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May 19, 2006 Sheryl - Rainforest Benefit Concert with Sting Canceled
http://www.billboard.com/bbcom/news/article_display.jsp?vnu_content_id=1002274275
March 29, 2006, 4:05 PM ET Jonathan Cohen, N.Y. Taylor for the 2006 Rainforest B... Joe Pinto Lied
As per the instructions of the receptionist in Senator Specter's office yesterday, I would like to meet
with the Senator regarding information that I have previously sent.
Please forward a date at your earliest convenience.
Thank You for your considerations.
Advanced Media Group
Stan Caterbone
mailto: amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Fax: (717) 427-1621
May 19, 2006 Dave Pflumm and Brett Stabley Thought they stole my wife
May 21, 2006 Harleysville Claim Priority Mail
May 22, 2006 Payments for Advanced Media Group Vonage Phone 17.48 Rhapsody .99 Go to My PC
24.95 EBay 15.95 Andale 16.95 Efax 10.00 Nextel
155.00
May 22, 2006 Advance Media v. Mike, Stabley, Pflumm COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS LANCASTER COUNTY CIVIL DIVISION Advanced Media Group
Stanley J. Caterbone Ma2y2 202 County of Lancaster, Pennsylvania: Agent is not processing above
claim and keeps lying to me. After I submitted claim forms and did not hear from him, I called him and
he said that a sworn and notarized affidavit required embossed seal from notary, proved that was not
the case. Then he s...
May 22, 2006 PA Insurance Complaint Agent is not processing above claim and keeps lying to me.
After I submitted claim forms and did not hear from him, I called him and he said that a sworn and
notarized affidavit required embossed seal
from notary, proved that was not the case. Then he s...
Mike, I (Advanced Media Group) am suing you for libel, slander and defamation of character. Just
what is it you are trying to accomplish by slandering me with this mental illness allegation?
You need to come clean with how my business with AIM back in 2001 was lost. I find it ironic that as
soon as I received my inheritance from Dad, Dave told me he knew that I went to a different bank to
deposit the funds, and shortly thereafter, you called me and said that your regional sales manager
received some complaints from some wholesalers about the updates I was sending out to you and the
other clients that I had with AIM.
You see Mike, since 1987, you all have been interfering with my business and my finances. You take
my money and my income, and when I try to resolve that through the courts, which is precisely where
matters of this kind are resolved, you go back and slander and libel me with this mental illness
allegation.
You have not seen me since February of 2005, and I have only spoken with you on a few occasions,
very briefly, and you never mentioned anything about me being mentally ill.
Now, you are going to have to answer in court what type of behavior you have witnessed that leads you
to the conclusion that I am having mental illness problems.
I am in the midst of litigating these and other past issues in the United States Court of the Eastern
District of Pennsylvania, Civil Action 05-2288 (which is sealed to the public), and you are obstructing
justice and interfering with my right to due process. Everyone that has libeled me with these mental
illness allegations will find that they will find a similar civil action filed against them.
I only have a hundred dollars left, and Mom still owes me from the judgment that was awarded to me in
Lancaster County Court of Common Pleas last July. Legally, I cannot leave Lancaster until all of my
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Tuesday
legal issues are properly adjucated through the courts, or I will face bench warrants for my arrest.
So, I am asking you once again to overnight mail me the final payment of $800 and I will satisfy the
judgment against 1250 Fremont Street. You can ask Mom just how much she has paid me so far. A
few months ago she sent me a check for $200, and said she would send me the rest of the payments.
Last week she said she would send me a check, and I still have not received it.
Attached is the civil action that I am filing.
And you also need to stop interfering with my relationship with Sheryl, and you better stay away from
her.
Advanced Media Group
Stan Caterbone
mailto: amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Fax: (717) 427-1621
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516

----Original Message Follows---From: mtciidd@aol.com


To: amgroup01@msn.com
Subject: Re: The right thing?
Date: Sun, 21 May 2006 08:45:06 -0400
Stan you need to get help. You need to see a doctor and get back on your medication. I know you
dont see this but your not well and we want to help. If you see a doctor I will help financially. Money is
not going to solve your problems in your current condition. Your entire solution to every this is through
the courts and what happens when you exhausted all your options and that what? Mom is getting very
old and we dont know how much time she has so please leave her alone and you can deal with me. I
wish you could see what youre doing to yourself but i guess you cant. I know youre pissed off but we
want to help. What is happening with your house? How far behind are you in your mortgage
payments and dont give me your bankruptcy info. Because donor or later your going to have to settle.
Just trying to help.
Mike
-----Original Message----From: Stan Caterbone <amgroup01@msn.com>
To: mtciidd@aol.com
Sent: Fri, 19 May 2006 09:06:18 -0400
Subject: The right thing?
Just what did you mean.
and this is your brother Stan.
Advanced Media Group
Stan Caterbone
mailto: amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Fax: (717) 427-1621
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516

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May 23, 2006 Email Convention Center Recommendations from March 2005
1 of 2 5/24/2006 4:32 AM Sent : Tuesday, May 23, 2006 1:21 PM...
Filed appeal and Forma Papaus to Appeal Reading Traffic Tickets <end>
May 23, 2006 Convention Over Budget Lancaster New Era Lancaster New Era: Center bids $25M over
budget http://eedition.lancasteronline.com/pages/news/edition/NEPM/200... 1 of 3 5/23/2006 8:19 PM
costs could be 30% higher than... CV-0000160-06 Comcast must send notice to defend, otherwise do
not attend. Tried to make me miss this hearing, original taken, I thought it was for June 26, went today
to get
May 26, 2006 Hearing Caterbone v. Comcast CV-0000160-06 Comcast must send notice to defend,
otherwise do not attend.
May 26, 2006 Barley Snyder, LLC - Lancaster General Hospital File Stolen Gave formal notice to
Attorneys Meagan Ford and Mattson regarding LGH file stolen, said allegations that their client may
have been involved, Caroline (African American woman) at reception desk. Called to executive
secretary of both attorneys, were not a...
May 26, 2006 Judge Mary J. McLaughlin Letter faxed Advanced Media Group 220 Stone Hill Road
Conestoga, PA 17516
May 26, 2006 Judicial Conduct States District Court for the Eastern District Please explain your
complaint on the reverse of this from. COMMONWEALTH OF PENNSYLVANIA JUDICIAL CONDUCT
BOARD Pennsylvania Place 301 Chestnut Street, Suite 403 OFFICIAL USE
May 29, 2006 Judicial Conduct Review Board Complaint filed Please explain your complaint on the
reverse of this from. COMMONWEALTH OF PENNSYLVANIA JUDICIAL CONDUCT BOARD
Pennsylvania Place 301 Chestnut Street, Suite 403 Harrisburg, PA
.
May 29, 2006 Grassel Answer to Civil Complaint Due
May 30, 2006 Southern Regional Police Dept Answer Due
May 30, 2006 Kenny Chesney -- Opening for Chesney will be Sugarland and Jake Owen
May 31, 2006 Artie email for Convention Center March 2005 Artie, thanks for the intelligent reply and
discussion. You should understand, there is not too much that you have said that I disagree with. You
are right on point in your analysis. However, too understand my perception, you must understand my
experience...
May 31, 2006 Robert Walker email Advanced Media Group From: Advanced Media Group [amgroup01
@msn.com] Sent: Wednesday, May 31, 2006 3:48 AM
amgroup01@msn.com Printed: Wednesday, May 31, 2006 9:49 AM
June 1, 2006
Mr Caterbones am responding to your inquiry concerning your edition. The account has been
stopped. When it was started, we were provided with a credit/debit card to pay for the access on a
monthly basis. Starting 4/26, when we tried to process a monthly charge, it was declined. It had been
tried for with weeks of 5/3, 5/10, 5/17 & 5/24 with no success. Access was suspended on 5/26 with an
amount due of $ 3.88. We received your payment of $ 3.88, which paid your account to date. If you
wish to have access to the edition again, we would need to have a credit or debit card to use for the
monthly access charge. If I can assist you further, please contact me at 291-8627 or sign up on our
website.
Shirley
Circulation Customer Service
Lancaster Newspapers, Inc.
_____
From : May 31, 2006 9:41 AM... John Wert Assistant to Judge Scheaffer 610-478-6675 610-478-, file
again to reconsider?" shoul... COMMONWEALTH OF PENNSYLVANIA COURT OF COMMON PLEAS
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LANCASTER COUNTY CRIMINIAL DIVISION Commonwealth of Pennsylvania :
June 06, 2:0V06 A p p e a l f o r F o o d S t a m p s : CRIMINAL ACTION NO....
Bur of ~earings-~ppeals 2330 Vartan Way Second Floor Harrisburg PA 171 10-9946
Tim,
I had a problem at your Sunoco Gas Station on Orange and Prince street at about 2:30 am today. I
went to get some gasoline and my tank was low when I left my house, but the low fuel indicator light
did not come on.
I paid the cashier with 14 silver half dollars and got a pack of Eagle Lights and the rest $3.93 in
gasoline, or about 1.37 gallons, and pumped the gas into my Honda.
Now, on the way home, at about half way my low fuel indicator light came on. I know that I live about
7 miles from the Sunoco, and my 2005 Honda Odyssey gets at least 20 mpg city.
So, apparently, your Sunoco Station took my $3.93 and never gave me any gas, the meter on the
pump moved and shut off at $3.93, but I am alleging that I never put one drop of gasoline in my
Honda, yet the pump made it look like I was pumping gas into my Honda.
I have the receipt.
Advanced Media Group
Stan Caterbone
mailto: amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Fax: (717) 427-1621
June 09, 2006 Hearing for PENNSYLVANIA DEPARTMENT 717-786-2072 fax
Thank you for your response Mr. Caterbone. I would again explain to you that you should contact Efax directly at the phone number I gave you in my initial email to discuss what you believe to be a
double charge. It is YOUR responsibility to discuss the charges with E-fax as you gave them the Visa
gift card number. The bank cannot be responsible for YOUR decisions in regards to which you give
YOUR card number. Good luck with YOUR inquiry with E-fax. If E-fax decides you were double billed,
then E-fax will refund your card. Again, call E-fax and use the reference number that I gave you in
regards to YOUR account. At this point, Fulton bank will not be refunding any funds to you. Have a
good day Sir.
-----Original Message----From: Advanced Media Group [mailto:amgroup01@msn.com]
Sent: Thursday, June 08, 2006 6:55 PM
To: Mummert, Carl
Cc: amgauctions@comcast.net
Subject: RE: Fraud Inquiry by you on Visa Gift Card
Fulton Bank owes me $45.98.

Sir, you are blind, there are (2) $26.90 charges on my Gift card Transaction
details. And both were used to compute the balance of $-.81.
I did not authorize the $10.00 Efax charge.
The $10.08 from Turkey Hill is erroneous; I did not purchase 10.08 of gasoline on
June 5th or 4th.
Now Sir, I have a brief due in the chambers of U.S. District Court of the Eastern
District of Pennsylvania's Honorable Anita Brody, Caterbone v. Fulton Bank,
tomorrow.
You, Sir, are harassing me with your lies, and you are obstructing justice and my
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due process by harassing me with your phone call right when I began to formulate
my brief.
Date
Description
Amount
6/3/2006Pending - J2 *EFAX PLUS SERV 323-817-3205 CAUS
-25.9
6/7/2006EMPIRE BEAUTY SCHOOL #11 EMPIRE BEAUTY SCHO LANCASTER PAUS
-8
6/7/2006TURKEY HILL #0251 Q69 TURKEY HILL #0251 LANCASTER PAUS
-5
6/7/2006TURKEY HILL #0251 Q69 TURKEY HILL #0251 LANCASTER PAUS
-0.5
6/6/2006THE UPS STORE #3413 THE UPS STORE #341 LANCASTER PAUS
-5.94
6/6/2006FUNKS FARM MARKET N GARDE FUNKS FARM MARKET MILLERSVILLE PAUS
-5.05
6/6/2006ATM Balance Inquiry Fee
-1
6/6/2006MILLERSVILLE MART MILLERSVILLE PAUS
-5.39
6/6/2006J2 *EFAX PLUS SERVICE J2 *EFAX PLUS SERV 323-817-3205 CAUS
-10
6/6/2006TENNISTRAINER EQUIP STORE TENNISTRAINER EQUI 760-9171841 CAUS
-16.18
6/5/2006ATM Balance Inquiry Fee
-1
6/5/2006TURKEY HILL #0076 Q69 TURKEY HILL #0076 LANCASTER PAUS
-10.08
6/5/2006VONAGE *PRICE+TAXES VONAGE *PRICE+TAXE 866-243-4357 NJUS
-17.48
6/4/2006DOLLAR GENERAL 1805 COLUMBIA AVE LANCASTER PAUS
-3.64
6/4/2006ATM Balance Inquiry Fee

-1

6/4/2006J2 *EFAX PLUS SERVICE J2 *EFAX PLUS SERV 323-817-3205 CAUS


-25.9
6/4/2006TURKEY HILL #0246 Q69 TURKEY HILL #0246 LANCASTER PAUS
-10
6/2/2006ATM Withdrawal Fee
-2
6/2/2006PNC NE 1503 COLUMBIA AVE LANCASTER 1PAUS
-21.75
6/2/2006Funds Transfer from Fulton Financial Corp
175
Balance of all Transactions
-175.81
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Balance of Fraudulent Transactions

$45.98

Advanced Media Group


Stan Caterbone
www.amgglobalentertainmentgroup.com
amgroup01@msn.com
Fax: 717-427-1621

From: Mummert, Carl [mailto:CMummert@fultonbank.com]


Sent: Thursday, June 08, 2006 6:26 PM
To: amgroup01@msn.com
Subject: Fraud Inquiry by you on Visa Gift Card
Mr. Caterbone,
I just tried to call you to talk to you in regards to your request for information on
possible fraud in relation to your Visa Gift card you purchased last week. As you
thought it best to hang up on me as I tried to explain what I found out by calling E-fax
to research your gift card, I will now explain in brief detail what the fees were you
inquired about. The $10.00 fee on June 6th is a pre-paid amount E-fax charges to
allow you to fax pages @ .10 per page. When you use the $10.00, E-fax will then
pre-pay/charge another $10.00. As for your inquiry of being double billed the
$25.90. I spoke with a gentleman named Vincent @ E-Fax and he stated that there
is not a double charge and that you were only billed $25.90 one time for 2 months
service (May 2nd to June 1st and June 2 to July 3rd). The monthly charge is $12.95
and since the card # you provided E-fax in May was denied, they billed you for 2
months in the beginning of June. The Reference # for this information is
001428472. If you have any further questions in regards to YOUR E-fax account, I
would ask you call E-fax yourself. The # for E-fax is (323) 817-3206. At this time I
do not have any information for you in regards to your inquiry at the $10.08 charged
on June 6th.
Mr. Caterbone, since you again feel the best way to handle this situation is to
hang up on me when I was trying to give you this information, I would request that
you discontinue contacting myself. I do not have the time to continue to try and help
you when you are unwilling to listen to the information I have to pass onto you. This
is the second time in 3 days that you disrespected me, with the 1st being on
Tuesday, June 6th when you called me ignorant and I would respectfully request that
you no longer ask for help from me. I have tried to be polite and respect you and I
would hope you could do the same. When Fulton bank completes its research as to
what the $10.08 charge was that you are disputing, the bank will contact you by
email or letter.
Thank you for your attention to this email and I hope the information I passed
onto you so far is useful.
Respectfully,
Carl E Mummert
Branch Manager
Penn Square Branch
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Fulton Bank
(717) 291-2451 (Phone)
(717) 295-4792 (Fax)
cmummert@fultonbank.com
June 11, 2006 Country Music Awards CMA Music Fest Sets Initial Lineup
February 13, 2006, 4:30 PM ET
Katie Hasty, N.Y. Brooks & Dunn, Brad Paisley, Carrie Underwood and Montgomery Gentry are
Junaem 1o4n,g 2 t0h0e6 artistsH wehaori nwgil lH paerrisfobrumrg a At tirhpeo 2rt0 C0i6ta CtioMnA
Music Festival. Slated for June 8-11 in down...
MDT citation for leaving car unattended to go look for Sheryl in Terminal. Left car and talked to
Security Officer and he said it was ok and ordered me to move car, and I did. He did not write me a
citation on that day. <end>
June 15, 2006 Hearing DJ Ballentine Caterbone v. Comcast
From : Cheryl L. Kovaly <ckovaly@laverylaw.com>
Sent : Wednesday, June 21, 2006 1:13 PMTo : "Stan Caterbone" <amgroup01@msn.com>
Subject : RE: Caterbone v. Southern Regional Police Commission
Cheryl L. Kovaly, Esquire
Lavery, Faherty, Young & Patterson, P.C.
225 Market Street, Suite 304
Harrisburg, PA 17101
ckovaly@laverylaw.com
(717) 233-6633
Mr. Caterbone:
I do not appreciate your tone, nor do I appreciate your accusations or demands. I agreed to provide the
commitment documents to you as a courtesy. As stated, the 302 document was not in the paperwork
received from the Chief. Although additional documents are expected from my client, I have no
obligation at this stage of litigation to provide any documents to you. Given your attitude, I am not
inclined to extend you any additional courtesies.

7. HAVE YOU FILED A COMPLAINT ABOUT THIS MATTER WITH ANY OTHER AGENCY? YES NO
IF SO, PLEASE SPECIFY WHICH ONE(S) AND THE DATE YOU FILED, TO THE BEST OF YOUR
RECOLLECTION.
8. HAVE YOU FILED ANY COURT ACTIONS IN THIS MATTER? YES NO
IF SO, PLEASE SPECIFY IN WHAT COURT AND THE DATE YOU FILED, TO THE BEST OF YOUR
RECOLLECTION.

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9. IF YOU ARE REPRESENTED BY AN ATTORNEY, PLEASE PROVIDE YOUR ATTORNEYS NAME,
ADDRESS AND PHONE NUMBER:
10. WHAT DO YOU WANT TO SEE HAPPEN AS A RESULT OF YOUR COMPLAINT?
11. PLEASE EXPLAIN YOUR COMPLAINT INCLUDING THE DETAILS SUCH AS DATE, TIME AND
LOCATION. YOU MAY USE ADDITIONAL SHEETS IF NECESSARY.
PLEASE WRITE OR TYPE CLEARLY AND DESCRIBE THE EVENTS IN THE ORDER IN WHICH
THEY HAPPENED.
IF YOUR COMPLAINT IS BASED ON RACE, INCLUDE THE RACE OF ALL PERSONS MENTIONED
(INCLUDING YOURSELF).
IF IT IS A GENDER COMPLAINT, SUPPLY THE GENDER OF ALL PERSONS MENTIONED, ETC.
IF THERE ARE OTHER FACTS YOU FEEL SHOULD BE CONSIDERED, RECORD THEM ON AN
ADDITIONAL SHEET OF PAPER AND INCLUDE THEM WITH THIS COMPLAINT FORM.

I HEREBY VERIFY THAT THE STATEMENTS CONTAINED IN THIS COMPLAINT ARE TRUE AND
CORRECT TO THE BEST OF MY KNOWLEDGE, INFORMATION AND BELIEF. I UNDERSTAND
THAT FALSE STATEMENTS HERIN ARE MADE SUBJECT TO THE PENALTIES OF 18 Pa.C.S.
4904, RELATING TO UNSWORN FALSIFICATION TO AUTHORITIES.

___________________________________
______________________
YOUR SIGNATURE

DATE

PLEASE NOTE: YOU MAY NEED TO CONTACT A LAWYER SINCE THE ATTORNEY GENERAL
CANNOT ACT AS YOUR PRIVATE LAWYER.
As a law enforcement agency, the primary function of the Attorney General is to represent the public at
large by enforcing laws prohibiting acts of discrimination where there is a pattern or practice of unlawful
activity. Your complaint does remain on file with our office and the Information contained in it may be
used to establish future violations of Pennsylvania law or other issues of general public importance.

REVISED JANUARY 2005

June 28, 2006


Wednesday
10:30 AM - 11:00 AM

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Civil Rights Enforcement Complaint Finished

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Civil Rights Enforcement
15th Floor, Strawberry Square
Harrisburg, PA 17120
(717) 787-0822
Fax: (717) 787-1190

2. IF EMPLOYMENT RELATED, WHOM IN MANAGEMENT HAVE YOU INFORMED OF


YOUR COMPLAINT?
DAVID PFLUMM; PFLUMM CONTRACTORS, INC., FEBRUARY OF 1998
WHAT ACTION WAS TAKEN?
NONE
3. DO YOU KNOW OF ANY OTHER INDIVIDUAL (S) WHO HAS BEEN TREATED THE
SAME OR RECEIVED SIMILAR TREATMENT?
NO
WHAT HAPPENED TO THESE INDIVIDUALS?
4. DO YOU HAVE ANY WITNESSES TO VERIFY OR CONFIRM YOUR COMPLAINT?
YES
5. DID YOU SUFFER ANY MONETARY LOSS OR LOSS OF BENEFITS? PLEASE
EXPLAIN
YES
VARIOUS BUSINESS INTERESTS
1. FINANCIAL MANAGEMENT GROUP,LTD., AND ALL RELATED OPPORTUNITIES
1987
a. FMG ADVISORY,LTD. REGISTERED INVESTMENT ADVISOR
b. FINANCIAL MANAGEMENT GROUP,LTD., STOCK AND OPTIONS AND
FRANCHISING OPPORTUNITIES
c. MORTGAGE BANKING OPERATIONS
d. VENTURE CAPITAL OPPORTUNITIES
e. AVIATION CHARTER BUSINESS AND OPPORTUNITIES
2. POWER PRODUCTIONS I DIGITAL MOVIE JOINT VENTURE WITH
a. POWER STATION STUDIOS
b. TONY BONJIOVI 1987
c. FLATBUSH FILMS
3. ADVANCED MEDIA GROUP, LTD.,
a. STOCK VALUE
b. INFORMATION TECHNOLOGIES BUSINESS AND OPPORTUNITIES
c. JOINT VENTURE OPPORTUNITIES WITH
i. AMERICAN HELIX CORPORATION
ii. HIGH INDUSTRIES AND AFFILIATED HIGH COMPANIES
iii. AIM INVESTMENTS AND INVESCO
iv. EXCELSIOR PLACE DEVELOPMENT PROPOSAL FOR
DOWNTOWN LANCASTER AND MEEDER GROUP
v. DONNELLY GEO SYSTEMS, LANCASTER,PA
vi. GAMILLION FILM STUDIOS OF HOLLYWOOD CALIFORNIA
vii. INSTITUTIONAL INVESTORS OF HOUSTON TEXAS
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viii.
ix.
x.
xi.
xii.
xiii.

PLANNERS SECURITIES GROUP, INC. OF ATLANTA, GA


BENNET WILLIAMS REAL ESTATE OF YORK, PA
BECKY AUSTIN OF HOLLYWOOD, CA; MORTGAGE BANKER
MARCY SILEN AND FLATBUSH FILMS OF HOLLYWOOD, CA
SKIP LANGLEY AND EESCOMP OF HARRISBURG, PA
NETTWERK MUSIC GROUP BEVERLY HILLS, CA

4. PENNSYLVANIA UNEMPLOYMENT COMPENSATION BENEFITS


a. NOVEMBER OF 1987
b. APRIL OF 1998
4. PENNSYLVANIA HOUSING AND FINANCE AGENCY
a. EMERGENCY MORTGAGE FUNDS, NOVEMBER OF 198
b. EMERGENCY MORTGAGE FUNDS , FEBRARY OF 2006
5. PENNSYLVANIA DEPARTMENT OF WELFARE
a. FOOD STAMPS AND CASH ASSITANCE; May 2005
b. FOOD STAMPS AND CASH ASSITANCE; June 2006
7. PROVIDE THE DATE(S) OF INCIDENT(S): QUESTIONS CONTINUED ON PAGES
#70
THE FOLLOWING ARE INCIDENTS AND ACCOUNTS TAKEN FROM OTHER
DOCUMENTS THAT HAVE BEEN PREPARED FOR LEGAL PURPOSES. FOR
TIME AND CONVENIENCE DUE TO THE LIGITATION SCHEDULE OF THE
COMPLAINTANT, SOME OF THE INCIDENTS MAY NOT BE GERMAIN TO THIS
COMPLAINT AND SHOULD BE IGNORED. PLEASE ACCEPT OUR APOLOGIES
FOR ANY ERRORS IN EDITING AND FORMATING. ALL COMMUNICATIONS
INCLUDING LETTERS, FACSIMILES AND EMAILS ARE IN ITALICS.
July 2, 1987 - In an effort to continue all efforts and business activities, Stan Caterbone visits
the Office Works, owned and operated by High Industries, to purchase a printer while staying
in Stone Harbor. FMG, Ltd., had an open account, which Stan Caterbone authorized, as an
officer of FMG, Ltd.,. The Office Works demands cash payment and refuses to put the
purchase on credit.
July 6, 1987 - In an effort to document the conspiracy theory, Stan Caterbone requests Tom
Caterbone to call Robert Kauffman to inquire about the status of his affairs, and to tape the
conversation. Tom Caterbone identifies himself as John Green, a client of Stan Caterbone's
and Robert Kauffman states the following: "Stan Caterbone has moved his office to Stone
Harbor, NJ.. he is not taking care of business, and I need to see to it that his clients are taken
care of for the time being.. he has been spending a lot of money, an airplane, a place at the
shore, and he seems to think that he is too important for his traditional clientele.. There is
some history of mental disorders in his family history.. I can't come right out and say that that
is what's going on, .. I wish Stan would get some professional help.. However for the time
being, Stan is not taking care of business, and I need to be concerned for his clients.
July 6, 1987 - Stan Caterbone telephones Dr. Al Schulz, psychiatrist at St. Joseph Hospital,
and client of Stan Caterbone's in order to thwart the allegations of insanity. Dr. Al Shulz had
disclosed that several persons, including Mary Lynn Dipaolo and Jere Sullivan had called him
concerning Stan Caterbone's behavior and activities. From the allegations, Dr. Shulz advised
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that Stan Caterbone was suffering from illusions of grandeur, and prescribed Lithium
treatment, and to return to Lancaster for consultation. Stan Caterbone insisted that the
allegations were purely fabricated, and that no one had any legal right to interfere with his
business and or legal affairs, let alone his confidential medical records.
July 6, 1987 - Stan Caterbone contacts David Drubner, of Boston, Ma, a friend of Stan
Caterbone's brothers Mike, and an attorney. During the conversation, David Drubner
questions Stan Caterbone about "taking some medication", and supports the allegations of
insanity.
July 6, 1987 - In the following days, Stan Caterbone had made numerous telephone calls to
local, state, and federal authorities, for intervention and help regarding all of the preceding
events and circumstances. The following is a brief description of each: Manheim Township
Police Department, responded "what bank branch repossessed your aircraft"; Pennsylvania
State Senator Gib Armstrong, responded, "I will call the Pa Attorney General's Office and
have them call you; the Federal Bureau of Investigation (FBI), the Philadelphia-based field
office; U.S. Representative Robert Walker (RPa), a detailed and explicit conversation with
Mrs. Robert Walker, who would only advise Stan Caterbone to put his situation in writing and
submit it to the Congressman in his Washington, D. C. office. In addition: David Wouls
(Executive Vice President of the Lancaster chamber of Commerce & Industry), Stan
Caterbone talked at length, and in detail, making allegations of misconduct with members of
the same; National Association of securities Dealers (NASD), in Washington, D.C., Stan
Caterbone discussed the securities related violations. And also: the Securities & Exchange
Commission (SEC), also in Washington, D.C., and discussed securities laws violations; the
Pennsylvania Securities Commission, of Harrisburg, Pa, discussed the implications of Stan
Caterbone's illegal lockout, and his legal and formal positions, including incorporating officer
of FMG, Ltd., Stan Caterbone received no support or follow-up communications concerning
all of the above requests, despite his apparent emotional duress, and extreme situation.
July 8, 1987 - A formal notification of the termination of Stan Caterbone's Registered
Representative Securities license with the Planners Securities Group Inc., of Atlanta, GA is
received, with a "cc: Robert Kauffman".
July 8, 1987 - Stan Caterbone's brothers, Steve, Phil, Mike, and Tom, arrive unexpectedly
and uninvited at the residence of Stan Caterbone's in Stone Harbor, NJ, and refuse to leave
until Stan Caterbone agrees to take Lithium and return to Lancaster to undergo treatment by
Dr. Al Schulz, for mental illness.
July 16, 1987 - Stan Caterbone travels to New York, from Boston, MA, to visit with Bob
Walters of Power Station Studios, to discuss the allegations of Blackmail, and to find out who
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is involved, including Scott Robertson and Power Station Studios. Stan Caterbone discusses
the illegal repossession and other related matters, however during the conversation, becomes
suspicious when Bob Walters and Tony Bongiovi disclose that the "Digital" Movie project is
suddenly suspended until a later time.
July 17, 1987 - Stan Caterbone travels to Hollywood, California to meet and visit with Ted
Gamillion and Gamillion Studios (Film Studio), and Marcia Silen of Flatbush Films. Ted
Gamillion had previously solicited the consulting of Stan Caterbone in order to help
reorganize the financing of the film studio, after earlier arrangements in North Carolina had
gone sour. Stan Caterbone had spent several days visiting and touring the studio. Ted
Gamillion agreed to allow Stan Caterbone to represent the studio in order to secure the
required financing. Ted Gamillion provided Stan Caterbone with substantial amounts of
confidential financial, legal, and tax documents for the project. During the visit, Marcia Silen
had disclosed to Stan Caterbone that Scott Robertson had made allegations of insanity about
him (Stan Caterbone) to persons at Power Station Studios and at Flatbush Films.
July 24, 1987 - Michael M. Hartlett sends a letter to all creditors of FMG, Ltd., informing them
that stated the following: Stan Caterbone is no longer an officer of the corporation; he was
removed from office on July 1, 1987; he had been purchasing items under FMG, Ltd., and
obtaining corporate discount and rates; and formally notifying
them that Stan Caterbone had never had the right to purchase items through FMG, Ltd., or
make corporate commitments on behalf of FMG, Ltd., or contract or in any way obligate
FMG, Ltd.,.
July 30, 1987 - Stan Caterbone had paid $600 to Dr. Levine, a Psychiatrist from North field,
New Jersey, for an objective evaluation of his mental state of mind, in order to prove the
fabricated allegations of 'insanity". Dr. Levine had conducted a 2 hour meeting in his
residence in Stone Harbor, NJ, and required Stan Caterbone complete the Minneapolis
Multiphase Personality Inventory (MMPI). Stan Caterbone completed the test, immediately
returned it to Dr. Levine. After several weeks without any communications from Dr. Levine,
Stan Caterbone had called for the results. Dr. Levine had explained that he had conducted
telephone interviews with members of Stan Caterbone's without notice or consent, in addition
to the original request of Stan Caterbone to conduct an objective and confidential
examination. In addition, Dr. Levine prescribed Lithium drug therapy, and disclosed a
diagnosis of Bi-Polar Mood Disorder.
August 6, 1987 - The legal firm of Appel, Yost & Sorentino, of Lancaster, Pa., send a formal
notice to Stan Caterbone, demanding the return of a facsimile machine leased from the ACM
company of Lancaster, Pa. Attorney Appel advises Stan Caterbone that it is the property of
FMG, Ltd., and should be returned at once or legal action will follow.
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August 8, 1987 - John M. Wolf, Executive Vice President of Commonwealth National Bank
sends Stan Caterbone a formal letter advising that the repossession of July 2, 1987 was both
lawful and appropriate, and declines to accept a settlement of $5 million for lender liability
violations.
August 10, 1987 - Stan Caterbone receives a facsimile from the Board of Directors of FMG,
Ltd., signed by Robert Long threatening to file criminal charges for "embezzlement (we have
checks to prove it), burglary, employee theft, corporate opportunity and slander against our
firm".
August 12, 1987 - Yolanda Caterbone, mother of Stan Caterbone, Steve, Phil, Mike, and Tom
Caterbone, all brothers, arrive unexpectedly and uninvited to the residence of Stan Caterbone
in Stone Harbor. After several requests for the visitors to leave the premises are denied,
several brothers refuse to let Stan Caterbone leave the premises. Stan Caterbone flees, and
the brothers chase after him. Stan Caterbone runs into a neighbors house to ask to use the
telephone to phone the police. However, after realizing that he is scaring the occupants, he
flees to the Stone Harbor Police Department, a few blocks away, in an effort to obtain a
restraining order and to lawfully have the unwanted persons vacate his residence and
personal property. Officer Steve Conners and Officer Henry Stanford refuse the request, and
hold Stan Caterbone in custody. After some 30 minutes, the officers, accompanied by Steve
and Tom Caterbone, place Stan Caterbone into a Police Cruiser and proceed to the Burdette
Tomlin Hospital, in Stone Harbor. Upon arriving, Stan Caterbone is interrogated and
questioned extensively about a "gun". A hospital staffer then accuses Stan Caterbone of an
attempted suicide and keeps him in custody for 4 or more hours. Another hospital staffer
performs an extensive mental health evaluation. Stan Caterbone is given an ultimatum of
signing a contract in order to be released form the hospital, the contract stated: "I Stanley J.
Caterbone will not take my life tonight or at anytime".
August 14, 1987 - The same family members again arrive unwanted at the residence of Stan
Caterbone in Stone Harbor, NJ. After another confrontation, similar to the incident of two
evenings before, Stan Caterbone fleas to the Avalon Police Department for another attempt
to get a restraining order. However, en route, just a few blocks from the Avalon Police
Station, an Avalon Police cruiser pulls Stan Caterbone over and arrests him for the following
violations:
1. Driving Beyond the speed limit.
2. Driving an unregistered vehicle (all required registration materials were in
Lancaster, PA)
3. Containing an empty beer can in his vehicle (which was at .1 east three days old)
In addition, the Avalon Police Department repossessed his car and locked it in the Avalon
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Police Department Compound, which was his only means of transportation and
communication by car phone.
August 24, 1987 - Robert Kauffman sends a letter to Millard Johnson, Stan Caterbone's
client, regarding his previous intentions of paying the $25,000 demand note of Stan
Caterbone to Millard Johnson. Robert Kauffman had previously promised to pay the debt to
Millard Johnson during a meeting. Robert Kauffman, told Millard Johnson to contact the FMG,
LTD., attorney, Craig Russell in order to file legal claim, and formally disclosed that he would:
no longer handle any discussions concerning Stanley J. Caterbone. In the last paragraph,
Robert Kauffman discloses that "attorney Mr. Patterson, no longer represents the Caterbone
family regarding his pending bankruptcy or guardianship". Notes: Stan Caterbone never gave
any legal jurisdiction or rights to any family member, has never filed for bankruptcy, was not
bankrupt, or even knew of an attorney named Mr. Patterson.
September 3, 1987 - Robert Kauffman calls detective Larry Sigler or the Manheim Township
Police Department to report an alleged Terroristic threat made two days prior, on September
1, 1987, by Stan Caterbone between the hours of 9:00 and 1 pm noontime. Detective Larry
Sigler issues a warrant for the arrest of Stan Caterbone with District Justice Murray Horton
that was issued at about the same time as the arrival of Stan Caterbone at Romar Aviation.
At approximately 3:00 pm Mary Lynn Dipaolo picks Stan Caterbone up at Romar Aviation for
a scheduled visit and dinner. After Stan Caterbone becomes annoyed at Mary Lynn Dipaolo's
unjustified allegations, Stan Caterbone borrows her car to go home to his residence in
Conestoga and to go play basketball. At approximately 7:00 pm, upon leaving the
playground, he is approached by Nancy Arment, FMG, Ltd., secretary, who is elaborated and
crying, asking "why are you doing this?". At approximately 9:00 pm, in an attempt to recover
additional stolen personal and business tiles, Stan Caterbone proceeds to the offices of FMG,
Ltd., where he is greeted by employee Stacy Waters and allowed to enter the building. Stan
Caterbone insists that Stacy Walters accompany him throughout the building as he recovers
files in the offices of Robert Kauffman, Michael Bartlett, and Robert Long. In addition
retrieving a Back-Up (FMG, Ltd, records and communications) copy of the computer system
which he integrated. Upon leaving, Stan Caterbone temporarily disconnect the systems which
he had integrated and developed for FMG, Ltd., which fall under intellectual property rights.
Stacy Walters assists Stan Caterbone in loading the tiles in his automobile, and Stan
Caterbone kisses Stacy Walters goodbye, and awaits for her safe return to the building until
leaving. Upon entering his residence later that night, Stan Caterbone is taken into custody by
the Conestoga Police, and requests that the files that he had taken out of the offices of FMG,
Ltd., be taken along to prove his rights to the property, and his position within the company.
Stan Caterbone was then taken to the jurisdiction of Manheim Township Police, where he is
arrested and taken into custody.
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September 4, 1987 - At approximately 2:00 am, Stan Caterbone is arraigned before District
Justice Richard R. Reeser for the following charges: Terroristic threats; burglary; unlawful
restraint; unlawful use of computers; theft by unlawful taking; robbery; and criminal mischief.
Bail is set at $20,000 and Stan Caterbone is placed in The Lancaster county prison. He was
not permitted to post real estate for bail.
September 5, 1987 - The Lancaster New Era and the Lancaster Intelligencer Journal report
the alleged crimes, reporting that Stan Caterbone is an ax-employee; that FMG, Ltd.,
sustained $60,000 because of his actions; and that he threatened 2 female employees. The
entire arrests and reports fail to acknowledge that Stan Caterbone is an individual lessee of
the property, and in accordance with law, still holds all of his offices of PING, Ltd., and is the
founder of the company. The above incident further facilitates the ongoing conspiracy, and
publicly discredits Stan Caterbone in every way, financially, professionally, and most
importantly conveniently supports the continued allegations of insanity.
September 9, 1987 - Stan Caterbone is given an ultimatum by the Lancaster county prison
authorities, Robert Bayer, Yolanda Caterbone, and Mary Lynn Dipaolo of posting the required
bail only if Stan Caterbone voluntarily admits himself into the Psychiatric Unit of St. Joseph
Hospital, or remain in the Lancaster County prison. Stan Caterbone is released from
Lancaster County prison, and immediately escorted to St. Joseph Hospital and admitted into
the Psychiatric Unit.
September 15, 1987 - Stan Caterbone questions the legality of the ultimatum for posting tail,
and upon learning that it is unlawful, arranges for his discharge - Upon his discharge, the St.
Joseph Hospital administrators learn that FMG, Ltd., had terminated his health insurance, and
demand payment of $3, 064.60 for the six days of hospitalization. Stan Caterbone is not able
to pay, and leaves the hospital and returns to his residence of Conestoga, PA.
September 15, 1987 - Stan Caterbone receives an invoice from St. Joseph Hospital for
$3,064.00.
September 16, 1987 - Stan Caterbone receives a call from Howard Eisler, an Investigator for
the Pennsylvania Securities Commission who requests a meeting with Stan Caterbone. A
meeting is scheduled for September 29, and Stan Caterbone arranges for Robert Beyer and
Millard Johnson to attend.
September 21, 1987 -ISC and the British Ferranti firm agree in principal to merge, creating
what appeared to be a $1.5 billion defense/electronics conglomerate, after six months of
negotiations.
September 29, 1987 - Howard Eisler conducts a meeting at the Residence of Stan Caterbone,
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with all parties consenting to have the meeting recorded by Stan Caterbone. Howard Eisler
was not able to provide a believable explanation of what he was investigating or why he had
contacted Stan Caterbone. Stan Caterbone explains all of the circumstances regarding his
prior meeting with ISC/Chem Con executive Larry Resch, and details his allegations of
wrongdoing of James Guerin/ISC/Chem Con6 and the discussions of that meeting on June
23, 1987, with ISC executive Larry Resch. Stan Caterbone also discloses his ISC stock
holdings, and his relationships with ISC and Chem Con associates. Millard Johnson testifies
to Howard Eisler during the meeting regarding a previous meeting in August with Robert
Kauffman, where Robert Kauffman tried to persuade Millard Johnson to fabricate a story that
a legitimate personal loan of $25,000 to Stan Caterbone in June of 1987, was instead
intended for investment and embezzled by Stan Caterbone. Robert Kauffman wanted Millard
Johnson to support this story to authorities. Stan Caterbone spent more than 4 hours
explaining and detailing all of his allegations and business activities including how he founded
and built Financial Management Group, Ltd.,; his mortgage banking activities; the illegal
repossession of his aircraft; all of the fabricated arrests; and the chronology of events after
the June 23 meeting with ISC executive Larry Resch. Howard Eisler ended the meeting and
requested copies of documents from Stan Caterbone.
October 2, 1987 - District Justice Murray Horton conducts a preliminary hearing for all
criminal charges against Stan Caterbone. Attorney Robert Beyer refuses to discuss any
issues regarding his individual lease of the FMG, Ltd., offices, or any issues resulting in the
illegal activities of anyone other than Stan Caterbone District Justice Murray Horton orders
Stan Caterbone to defend all of the criminal charges in the next term of criminal court in
Lancaster County. Stan Caterbone ordered to be bound over for the next term of criminal
court of Lancaster County.
October 18, 1987 - The Unemployment Compensation Review Board formally and officially
decides against a claim for benefits by Stan Caterbone and cites misconduct and wrongdoing
as the reasons.
October 27, 1987 - Lancaster Aviation files a civil suit with District Justice Murray Horton for
alleged unpaid bills of some $5,000.
November 9, 1987 - Stan Caterbone visits with Parent Federal Savings and Loan's president,
John Depatto, to discuss him problems in meeting his current mortgage payments. John
Depatto immediately disclosed to Stan Caterbone that foreclosure proceedings have officially
begun, and that the full loan of approximately $110,000 is immediately due. Stan Caterbone
stands up from the conference table and declares, "You tell Mr. James Guerin he is in
trouble", and abruptly walks out of the offices.
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November 23, 1987- A Referees Decision by the unemployment Compensation Review
Board upholds a recent decision to deny Stan Caterbone from collecting any benefits, again
citing misconduct and wrongdoing. Stan Caterbone calls Howard Fisler, of the Pennsylvania
Securities Commission and demands an explanation for not returning to obtain any
documents as promised in the meeting of September 29th. The phone call was recorded.
November 25, 1987 - Stan Caterbone receives a letter from the Pennsylvania Securities
Commission, Howard Zisler, citing a misunderstanding and lack of communication, and now
requests that Stan Caterbone submit a written complaint of all allegations discussed in the
meeting of September 29, 1987.
November 26, 1987 - Stan Caterbone visits the Pennsylvania State Police barracks in
Lancaster, to file a formal complaint to the White Collar Crime Division. Stan Caterbone was
treated as if he was making the entire story up, and received no help.
December 4, 1987 - Financial Management Group, Ltd., holds its first annual shareholders
meeting, for the year ended June 30, 1987, at the Treadway Resort Inn. In an effort to
promote propaganda against Stan Caterbone, and to support the fabricated allegations of
insanity, FMG, Ltd., president hired armed security personnel to guard the doorways of the
meeting, insinuating that the meeting was under a threat of violence, and to collaborate his
recent allegations of Terroristic threats, which Stan Caterbone was previously arrested and
awaiting trial.
December 17, 1987 - The United States Postal Inspector acknowledges receipt of formal
complaint from Stan Caterbone regarding executives from FMG, Ltd., illegally changing or
address; opening of confidential personal and business mail; and withholding and possibly
destroying confidential personal and business mail at Stan Caterbone's leased property of
1755 Oregon Pike, Lancaster, PA, also the headquarters of FMG, Ltd.,.
January 26, 1988 - The Pennsylvania Homeowners Emergency Mortgage Assistance
Program formally and officially denies Stan Caterbone of benefits citing the following: "
Applicant was terminated from job FMG, Ltd.,), therefore was not suffering from
circumstances beyond his control".
March 14, 1988 - Stan Caterbone is served notice by Lancaster Constables regarding Parent
Federal .Guerin' Bank) v. Stan Caterbone Mortgage Foreclosure of his residence at 2323
New Danville Pike, Conestoga, PA.
May 1988 - Stan Caterbone is forced to sell his residence, and subdues to the undo influence
that he was responsible for all circumstances, and moves to Florida with his brother.
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Sep 15, 1988 - Seven Chem-Con executives, including Christian, are criminally indicted for
the firms $15 million defense contracting fraud.
October 23, 1988 -Stan Caterbone, destitute, without a personal residence, automobile, or
any income, and with accumulated debts of more than $65,000 from all related incidents in
the 1987 "Blackmail", sells his FMG, Ltd., holdings to Robert Kauffman and is given $72,000
in proceeds at settlement. This by and of itself will be proven to be extortion. Robert
Kauffman was in fear of Stan Caterbone exercising his large voting rights in the upcoming
FMG, Ltd., annual shareholders meeting, which included the election off FMG, Ltd., Board of
Directors. Stan Caterbone had approximately 19% of the outstanding shares of FMG, Ltd.,
and had the potential to vote someone of his selection to a Board seat. Scott Robertson had
solicited the deal for both parties, and acted as negotiator for both.
July 19, 1989 - Stan Caterbone, Scott Robertson, and American Helix agree on a one year
employment contract, which American Helix will never fulfill in its entirety, and will be
terminated in the following April.
April 1990 - The American Helix Board of Directors, lead by S. Dale High/High Industries,
vote to terminate Scott Robertson of American Helix, and to discontinue the financing of the
CD-ROM business which Stan Caterbone was directly involved. The joint venture agreement
with Network Technologies, or Washington, D.C., had lost an estimated $450,000 in the past
9 months, and the technologies, which were to be delivering revenues, had proven to be
worthless. Scott Robertson had solicited, negotiated, and administer the deal, Stan Caterbone
had raised serious concerns at to the capabilities of both the technologies, the business, and
Network Technologies, early in the project. High Industries then conducted several meetings
with Stan Caterbone to purchase the business, however, Stan Caterbone had told the
executive in a meeting on Good Friday, that he was solely responsible for any business that
was left, and any there was no real value. High Industries agreed to pay Stan Caterbone his
weekly consulting tee only until June 30, in hopes of negotiating an agreement to keep
American Helix in the CD-RON business, which was only feasible with Stan Caterbone,
because of his knowledge and expertise in "Digital" technologies.
August 2, 1990 - Stan Caterbone discovers that in July, Fulton Bank embezzled $5,000 from
the checking account of Stan Caterbone due to an error by Fulton Bank's accounting
department Fulton Bank refused to credit the account for more than 60 days, without crediting
the lost interest income.
Dec 12, 1990 - Ferranti reports a near $40 million loss for the first half year, but says it hopes
to begin showing a profit before year-end in March 1991a Stan Caterbone receives a call
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from James Christian while in custody in the Loretto State prison. Stan Caterbone asked Jim
Christian if he had authorized or had knowledge about the June 23, 1987 meeting between
himself and ISC executive Larry Reach. James Christian answered the question as follows:
"I never knew of such a meeting, authorized a meeting with Larry and yourself. Larry (Reseb)
was the courier for Jim Guerin, that is how I and Chem Con got set up and used as the
scapegoat to divert attention away from You
should talk to Earnest Schriber of Lancaster Newspapers, you can trust him.. Guerin's
attorney (Tate) called to offer
me $1.00 to settle my $93 million law suit against Guerin".
Dec 14, 1990 - At a Christmas party of Bradley DeForge's, Mike Dipaolo, during a
conversation with Stan Caterbone, had stated that "You (Stan Caterbone) had Guns and
Knives in 1987" as the reason for the mental illness fabrications. NOTES: Stan Caterbone
quickly left the party. In addition, during the same time, other such statements from friends,
regarding his present "mental condition", began to mysteriously resurface only after
knowledge of his activities to take legal recourse for the 1987 incidents, and to pursue his due
access to the law. Stan Caterbone, in order to get work accomplished on the project, traveled
to Captiva Island, and continued his project, the "AMG Legal Systems Prototype" disc. The
"AMO Legal Systems Prototype" project was a CD-ROM system, designed by Stan
Caterbone, that would include all of his relevant information concerning his alleged ISC
Cover-Up, including audio conversations, and authentic documents, all stored on one optical
disc, or a CD-ROM.
The disc and system was finally completed on May 16, 1991.
December 20, 1990 -Stan Caterbone telephones his cousin Ron Roda, from Captiva Island,
Florida, to inform him that he will arrive home in a few days. During the conversation, Ron
Roda, disclosed to Stan Caterbone that both Jim Warner and Jere Sullivan had made
telephone call to his brothers, Phil and Tom, and made allegations of insanity about Stan
Caterbone, and advised the need for medication.
December 23, 1990 -Stan Caterbone forwards a letter to the Department of Defense Mapping
Agency regarding his bid for the $2.5 million CDROM contract (DMA 700-90-0011), then in
negotiations. Stan Caterbone alleges misconduct in the procurement and for the first time
publicly discloses his allegations of Blackmail immediately following his meeting with ISC
executive Larry Resch on June 23, 1987.
January 9, 1991 - Lt. Madenspacher of the Manheim Township Police Department call Stan
Caterbone at his lab/office in him home at approximately 2:00 pm. Lt. Madenspacher
explains that he had received a copy of the letter to the Department of Defense, that
Detective Larry Mathias had forwarded to him. Lt. Madenspacher questioned his motives of
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the letter and stated: "What are you going to do.. We (Manheim Township Police Department)
just don't want to see a multi-million dollar law suit come down our way.." Stan Caterbone
responded, "You know that I was an individual lessee of that property, and in addition I had
never resigned any offices or my Board of Director's seat of FMG, Ltd., .. You also know that
I had met with Larry Resch of ISC on June 2S, 1987, and that I made allegations of
misconduct.." Lt. Madenspacher responded, "We were forced into that (the arrests of Stan
Caterbone on Sept. 3, 1987), we were caught between a rock and a hard place, we were
forced into that".
Lt. Madenspacher then changed the subject to "Digital" technologies, and described the
activities of the police department of using the same in the telephone surveillance of criminal
suspects. Lt. Madenspacher then requested to meet with Stan Caterbone. Stan Caterbone
agreed, however due to his current busy schedule, confirmed he would contact him later to
schedule a meeting.
January 10, 1991 - Stan Caterbone sends a letter to Lt. Madenspacher of the Manheim
Township Police Department, to schedule a meeting for Thursday, Jan. 17th at 3:00 pm, at
his office at American Helix Technology Corporation, at the Green field Corporate Park. Stan
Caterbone requested a response only if the time was in conflict of his schedule.
January 17, 1991 - Lt. Madenspacher fails to show up for the scheduled meeting with Stan
Caterbone at Amen can Helix, and never contacted him before that date to change the
meeting, or called to apologize for not being able to keep the prior commitment.
January 18, 1991 - Stan Caterbone sends documents concerning the Blackmail" of 1987 to
several reporters of the Lancaster Newspapers,: Tim MeKeele; Earnest Schreiber; and
Thomas Planner. Tim MeKeele also received a tape with some excerpts of the September
29, 1987 meeting with the PA Securities Commission, where Stan Caterbone discusses
allegations of misconduct against J. Guerin and ISC.
January 19, 1991 - High Industries American Helix illegally and without notice locks Stan
Caterbone out of his office and the facility of American Helix, who was currently under a joint
venture agreement with Stan Caterbone and his Advanced Media Group, Ltd., for his digital
technologies business. NOTES:: This "Lock-Out" was similar to that of FMG, Ltd., on July 1,
1987. Again conveniently when Stan Caterbone had raised issues and allegations involving
Guerin and ISC.
January 21, 1991 - In fear and confused about his involvement, and in respect to the massive
fraud of the ISC/Ferranti merger, Stan Caterbone sends a package to Ferrantis legal counsel
in England by way of United Postal Service' Overnight International Delivery Service
(Tracking Number 1773 0619 670). NOTES: Stan Caterbone was in fear that a potential
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"Cover-Up" by U.S. authorities, and specifically the Lancaster community, would place his life
in danger, and wanted to insure that the information concerning his knowledge of ISC
misconduct before the lSC/Ferranti merger, and his disclosure to local, state, and federal
authorities in the summer of 1987, at least would be received by Ferranti, reducing the
possibility of someone terminating his life in order so that these circumstances would not be
used as an asset in the present Ferranti Legal efforts.
Jan 22, 1991 - In an effort to support his allegations of misconduct and the allegedly
threatening activities of Stan Caterbone, American Helix president Dave Dering has all of the
locks in the building changed by a professional locksmith, which is nothing more than an act
of propaganda.
February 1, 1991 - ABC News 20/20 features the story "Weapons Sales to Iraq" about the
ISC/Cardoen cluster bomb technology and how it got to Saddam Husain. Feb 17, 1991 - Stan
Caterbone receives a letter from Sandra K. Paul, of the Citizens Ambassador Program, a
division of People to People International, notifying him that he has been selected to
participate in the upcoming Printing and Publishing Delegation to the Soviet Union and
Eastern Europe in the coming August. People to People International are a nonprofit
organization started by the late Dwight D. Eisenhower to facilitate the communications of
experts from various professions throughout the world. The objective of the delegation was to
exchange ideas, information, and technologies of the printing and publishing industries with
American counterparts in the Soviet Union, and various Eastern European countries.
February 22, 1991 - Federal prosecutors seize $800,000 from Clark, claiming he was privy to
information about ongoing criminal acts within ISC that generated the tainted cash.
February 1991 -In an American Helix staff meeting, with all employees present, but Stan
Caterbone, president David Dering had spent approximately 20 minutes alleging that Stan
Caterbone almost ruined his company, and that he "is a runaway ex-convict, that will end up
in jail very soon". The above discussion was disclosed by engineer Al Thornburg, immediately
following the meeting.
May 23, 1991 - At approximately 2:00 pm, Jay Curtis, (appearing as a Department of Defense
contractor, who had recently solicited the services of Stan Caterbone and his Advanced
Media Group, Ltd., to provide engineering in the development of "Digital" simulation and
training applications for various U.S. Military Logistics bases) had called Stan Caterbone. The
following is synopsis of the conversation: "Because of your recent discussions concerning
your knowledge and information about the ISC Scandal, and an alleged "Cover-Up", I had to
do a background check on you, to insure against any problems when including you in by
proposal to the U.S. Department of Defense... Everyone backs up your story, and is looking
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over your documents now, including the CIA, IRS, SEC, FBI, Scotland Yard, Attorney
General, the British M-4, and others. They are all verifying and confirming your "cover-up"
allegations.. They don't know what to tell the Press and Media "I also know that you submitted
documents to Mr. Thomas Flannery of the Lancaster Intelligencer Journal". "How did you
know about the CIA and its involvement with ISC, how did you know that, and what do you
know?" NOTES: Jay Curtis kept pushing Stan Caterbone on the CIA issue, and what he had
known and how he knew, Stan Caterbone kept telling him that the whole situation was to
emotional, and that he was afraid for his life. Stan Caterbone had to eventually tell Mr. Curtis
that he could not discuss this anymore. He abruptly changed the subject and hung up on Mr.
Curtis. Stan Caterbone immediately went to a friends house, and disclosed that fact that he
was in fear for his life. He quitly sat on the steps with his friend, Abby. Later that night, his
friend Dave Pflumm would take him to the corner bar for a few drinks, while unknowing to
Stan Caterbone, Ted Koppel was disclosing the story of the CIAs involvement with ISC.
Several hours later, Ted Koppel broke the story about the CIA and ISC's covert operations to
sell arms to Iraq. Immediately following the conversation with Mr. Jay Curtis regarding the
CIA and ISC, Stan Caterbone packed a suitcase and confidential information assets, in
preparation to leave Lancaster, in total and legitimate fear for his life.
May 23, 1991 - ABC News/Nightline and Ted Koppel feature the first in a series of stories,
relating to CIA knowledge of a covert operation to supply munitions to south Africa
implemented by ISC and Carlos Cardoen. The story featured Lancaster and ISC. The report
ties Guerin to the National Security Agency project in the 1970s. The report was investigated
by ABC News, the Financial Times of London, and the Lancaster Intelligencer News. Tom
Flannery of the Lancaster Intelligencer Journal, appeared on the program and was given
credits on the show.
May 24, 1991 - The Lancaster Intelligencer Journal reports on the above story. At
approximately 1:30 pm, Stan Caterbone drives out of Lancaster, en route to a safe haven,
and stops at a convenience store and reads the early edition of the Lancaster New Era,
learning for the first time of ABC News/Nightline story about ISC and the CIA the evening
before, just hours after his conversation regarding the same to Jay Curtis.
June 7, 1991 - Stan Caterbone is again arrested by the Stone Harbor Police. After passing
several sobriety tests, and two Breathalyzer tests, Stan Caterbone is placed in a jail cell, and
refused to be released. Several hours later, Stan Caterbone is cited for outstanding arrests
warrants of Avalon, NJ, dated back to August 14, 1987, by an officer of the Avalon Police
department who suddenly appeared. Both arresting officers demanded $340.00 for the
posting of bail. Stan Caterbone requested that the required cash be retrieved from his car,
located just a few blocks away. The Avalon police officer responded by saying, "we can't let
you go to your car, you may have a gun in there". Stan Caterbone was immediately escorted
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to the cape May county Prison, fingerprinted and processed.
June 8, 1987 - Stan Caterbone calls Mike Orstein, Lt. of the Stone Harbor police patrol, and
requests that he retrieve the required cash from his car, and post the required bail. At
approximately 2:30 pm, Stan Caterbone is released on bail.
June 11, 1991 - Stan Caterbone left the Stone Harbor Marina at approximately 12:30 am en
route to Lancaster, Pa, to retrieve some files concerning the ISC cover-up. Upon driving north
on Route 47 (the normal route to Lancaster), approximately 10 miles outside the Cape May
county Courthouse, Stan Caterbone noticed a car following him closely. Suspicious, Stan
Caterbone decreased his speed from 55 mph to 35 mph, in order for the car to pass him.
However, the car remained directly behind, adjusting the speed accordingly. In an effort to
elude the car, without raising suspicion, Stan Caterbone gradually increased his speed, while
also increasing the distance between the cars, resulting in the loss of his taillights to the
ensuing vehicle - Because of the winding road, Stan Caterbone looked for an abrupt turn-off,
in hopes of dashing the eluding vehicle, by loosing sight of his taillights. There was little or no
traffic on the route during the early morning hours, and Stan Caterbone stopped at an
intersection, and noticed that the headlights of the ensuing vehicle were not visible in his rear
view mirror, meaning that his taillights were also not visible to the ensuing vehicle.
Immediately upon pulling from the intersection, Stan Caterbone noticed a narrow dirt road
that lead into a field of small trees, the perfect place to sit for the ensuing auto to pass him,
unnoticed. The ensuing vehicle pulled to the intersection, and continued north on route 47, in
the direction of Lancaster. Stan Caterbone sat in his vehicle a few minutes, until continuing
on his travel, north on Route 47. Approximately five (5) minutes later, a car traveling in
excess of SS mph, approached Stan Caterbone, traveling south on the same road (2 lanes)
As the two cars approached each other, and approximately 30 yards from reaching each
other, the approaching vehicle drove directly into the lane of Stan Caterbone, with its high
beams on, and continued straight for his vehicle, or what appeared to be a head-on-collision.
Stan Caterbone drove off of the berm of the road, missing a line of trees by less than 12
inches (eluding a life threatening disaster), and passed the vehicle that was still in the north
bound lane, heading south. Stan Caterbone, shaking and sweating furiously, noticed the cars
brake lights go on, and the car apparently turned around, and began pursuing Stan Caterbone
again. Stan Caterbone drove as fast as he could to Route 55, hoping to find traffic in order to
hide and loose the pursuing car. Stan Caterbone arrived in Lancaster, at approximately 3:00
am, and again noticed a car sitting in the parking lot of the vacant "Sportsman's Den", at the
intersection of the New Danville Pike and Prince Streets. Upon driving west on Hershey
Avenue, Stan Caterbone noticed the car following him. In an effort to identify the license
plate, Stan Caterbone made a few turns in the area of Hamilton Watch, and followed the car
heading north on S. West End Avenue. The car was a late model, gold or tan, Cougar or
possibly a Buick Park Avenue. Stan Caterbone watched the car increase his speed, and
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finally changed directions and proceeded to his residence, and parked a few blocks away, and
walked through the woods, to his apartment in the Hershey Heritage complex. Stan
Caterbone then used a flashlight, in order not to reveal his presence, and returned to his
vehicle, sometime in the early morning, during daylight.
June 19, 1991 - Stan Caterbone leaves Stone Harbor, in constant fear for his life, and
remains in seclusion, in various parts of Eastern Seacoast, spanning from Captiva Island,
Florida, to Boston, MA, in order to prepare an official request Congressional Investigation of
all related matters.
Jul 11, 1991 - Stan Caterbone files an official request C300 pages) for a Congressional
Investigation into all of the ISC and preceding issues with U. S. Representative Robert
Walker CR-Pennsylvania), and Speaker of the House, U. S. Representative Thomas Foley.
Overnight Mail Service of the United States Post Office, outside of Baltimore, Maryland, sent
both requests.
July 12, 1991 - Stan Caterbone returns to his home, in Lancaster, PA, at approximately 12:00
pm, after remaining in seclusion immediately following the phone conversation of May 23,
1991 with Jay Curtis, regarding the CIA and ISC. ABC News/Nightline features it's second
story about Lancaster's ISC and Arms to South Africa and Iraq.
July 18, 1991 - U.S. Representative Robert Walker sends a letter to Stan Caterbone relating
to his request for a Congressional Investigation into all of his allegations of misconduct and
criminal wrongdoing regarding his alleged ISC/Fraud "cover-up". The letter said : "Thank you
for your recent letter and information on International Signal & Control corporation. I
appreciate your thinking of me; however, since this case is before the courts, it is unethical
for me to interfere with judicial process. If you think I may be of assistance with other matters,
please feel free to contact me".
August 1, 1991 - Stan Caterbone receives a notice of a warrant for his arrest by the Stone
Harbor (NJ) Municipal Court, regarding summons #081370. Stan Caterbone called the Court
Clerk, Pam Davidson, to explain the circumstances. The Court Clerk refused to identify
herself, and did not have time to listen to his explanation. She then questioned why he (Stan
Caterbone) wanted to write to the Judge to explain. Stan Caterbone writes a formal letter to
Judge Peter M. Tourison, of the Stone Harbor Municipal Court explaining his allegations of
misconduct, and the issues surrounding his recent arrest of June 7th, and all of the arrests
dating back to August of 1987. Stan Caterbone had described in detail his assertions and
evidence that the arrests were conveniently orchestrated while he was seeking legal recourse
for the alleged ISC "Cover-Up'. Stan Caterbone also explained his fear for not returning to the
Stone Harbor Municipality, in light of the fabricated arrests, and other questionable incidents.
Stan Caterbone requested another means of settling all outstanding frivolous traffic
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violations, other than appearing in Stone Harbor Municipal Court. Stone Harbor Municipal
Court Judge, Peter M. Tourison, sends Stan Caterbone an official letter acknowledging
receipt of his previous letter and explanations. Judge Tourison concluded his notice by
demanding that Stan Caterbone appear in Court, as scheduled, "to have this matter taken
care of in the proper manner.
August 13, 1991 - Ferranti announces it has recovered $650,000 hidden by Guerin in a
number of Swiss Hank accounts. Ferranti also announces a fiscal 1991 loss of $282 million.
Stan Caterbone responds to Judge Tourison letter of August 8, and discloses the recent
attempt on his life, the past June, just outside or Stone Harbor, and states that because of the
apparent criminal conspiracy within the same municipality, Stan Caterbone formally notifies
the Judge that he refuses to return to Court, as requested.
August 15, 1991 - Guerin and Cardoen are shown to have been deeply involved in a failed
$100 million arms procurement plot linked to the infamous Iran-Contra scandal.
August 16, 1991 - Stan Caterbone receives a formal notice and demand from American Helix
President David D. Dering, for the return or equipment, currently in the possession of Stan
Caterbone, and notice of the termination of the business agreement, dated October 1, 1990
between Stan J. Caterbone and American Helix Technology Corporation. Stan Caterbone
receives a facsimile from Mike Hess (former ISC engineer who frequented S. Africa and who
solicited Stan Caterbone in late 1989 for work), and refuses to sign a non-disclosure
agreement with Stan Caterbone and the Advanced Media Group, Ltd., as requested to
continue a further relationship considering the recent activities from the May 23rd phone call
and the national media publicity regarding the ISC Scandal.
August 19, 1991 - Stan Caterbone sends a letter to attorney Timothy Lanza via the Lancaster
Bar Association, and asks for an explanation as to his misrepresenting to Stan Caterbone for
the past month that his order for Advanced Media Group, Ltd., stock certificates were
ordered, when in fact Stan Caterbone verified with authorized personnel of the H. Burr Kein
company that the order was never placed. Timothy Lanza had personally disclosed to Stan
Caterbone on several occasions that he was awaiting the delivery of the certificate kit via
UPS. Stan Caterbone responds to the previous letter of David D. Dering, and his request for
the return of American Helix equipment, currently in the possession of Stan Caterbone. Stan
Caterbone formally notifies David Dering that the equipment will be held as collateral,
according to statutes of the Pa. Uniform Commercial Credit code, that the equipment will not
he returned until the past due invoice {# 1018), of the Advanced Media Group, Ltd., of July
12, 1991 for $4,914.00, which was due upon receipt according to their business agreement,
was paid in full.
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August 29, 1991 - A federal judge dismisses Christian's $93 million suit against Guerin, but
Christian vows to re file the suit.
September 13, 1991 - ABC News/Nightline features another story about ISC, the CIA, and
Arms Deals, in preparation for the beginning of the-Confirmation Hearings of George Bush's
nomination or the Director of the Central Intelligence Agency, Robert Gates, which begins just
three days away, by the Senate Intelligence Committee.
September 14, 1991 - Ferranti and Clark reach an agreement to settle their legal battle,
although either party does not disclose details. September 16, 1991 - The first day of the
Robert Gates' Confirmation Hearings brings questioning by Senator Murkowski, of the Senate
Intelligence Committee, about knowledge of the ISC operations by Robert Gates. Gates,
whose candor about Iran-Contra resulted in his 1987 withdraw when nominated for the same
slot by then President Reagan. In a less-than sincere line of questioning, Robert Gates denies
any knowledge of ISC, Guerin, or Carlos Cardoen, including any operations to sell munitions
to Iraq or South Africa. In addition, he denies any knowledge of any CIA involvement in the
same.
September 19, 1991- Stan Caterbone visits the office of Senator Bill Bradley (D-New Jersey),
in the Hart Office Building, Washington, D.C., and delivers documents, tapes, and a video, all
relating to his allegations of an alleged "Cover-Up" regarding the ISC Scandal. Assistant
Jackie Widrow, who signed a receipt, took the materials.
September 21, 1991- Stan Caterbone delivers a contract for the consulting services he has
agreed to provide to J. Oman Landis, in order to insure against any wrongdoing, and
especially in light of Mr. Landis' assertion the previous Friday that "you (Stan Caterbone) are
taking a break (from business) to rest your mind". This assertion conveniently supports the
alibi of mental insanity, that has been made by numerous persons, including Mr. Landis'
friends, the High's, who wholly own American Helix Technology Corporation. Several hours
after delivering the contract to Mr. Landis, and after beginning to work, as outlined in the
contract, Mr. Landis called Stan Caterbone into his office and said "there were some
developments over the weekend, why don't you continue on your normal duties of driving
(limousines), this has nothing to do with the contract that you asked me to sign".
October 1, 1991 - Stan Caterbone receives a facsimile from David Dering, President of
American Helix, formally charging Stan Caterbone with charges of 16,730.00. David Dering
also demands that the equipment be returned, and upon receipt, American Helix would
forgive $11,816.00 ($16,730 - $4914)(Caterbone's invoice) of unpaid charges to Stan
Caterbone and or the Advanced Media Group, Ltd., Stan Caterbone sends by certified mail, a
copy of a recent complaint (filed Sep. 6, 1991) to the New Jersey Department of Motor
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Vehicles, and a demand for the title to his boat, and again allegations of criminal wrongdoing
by the Stone Harbor Marina, for not delivering title, given the bill of sale was satisfied on June
10, 1991, and a fee for the title was paid as well. Stan Caterbone personally meets with Ted
Koppel, of ABC News/Nightline, at the Washington National Airport, at approximately 5:30
pm. Stan Caterbone questioned Ted Koppel if he knew a Mr. Jay Curtis, and why he was
questioned about the CIA's involvement with the ISC affairs, just hours before the broadcast.
Ted Koppel denied any knowledge of Mr. Jay Curtis, and stated that Thomas Flannery was
involved in the broadcast requested the phone number of Stan Caterbone, and said that he
would contact him later, due to his present time constraints, and asked "what do you want,
and what is the story line?" Stan Caterbone responded, "Justice and protection, someone is
trying to cover me up, and someone already made attempts on my life... someone keeps
getting information from me, while I'm left sitting in Lancaster like a sitting duck".
October 2, 1991 - Stan Caterbone responds by facsimile, to the Oct. 1, correspondence, to
David D. Dering. NOTES: Stan Caterbone requested supportive documentation regarding the
suspicious charges of $16,730.00 as declared, in order to consider the request for the return
of the equipment. David C. Dering responds by facsimile, demanding for Stan Caterbone to
meet him at the Holiday Inn, in Lancaster on Friday, Oct 4th, with the equipment in his
possession, and states that he will deliver the required supportive documentation of the
charges as requested.
October 2, 1991 - Stan Caterbone responds by facsimile to Ted Koppel, as to his question
concerning the "story line" October 31, 1991 - Guerin and 19 others, including Larry Reach,
are indicted on 75 criminal counts by the Philadelphia based grand jury. Laura McQueen,
administrator for the New Jersey Department of Motor Vehicles, called Stan Caterbone at
approximately 3:30 pm, to notify him that she was trying to sort out the problem with his
complaint regarding title to his boat. Ms. McQueen acknowledged that the Stone Harbor
Marina had submitted an application for a title, apparently dated on or about June 10,
however the identity of the boat did not match that of for Stan Caterbones. Ms. McQueen
also admitted that there seemed to be evidence of wrongdoing, but denied to state whether
the matter was presently being investigated. Ms. McQueen also stated that the title in
question was being microfiche, and that within a few days, they should be able to trace the
title, and resolve the problem. Robert Clyde Ivy, Terrance Faulds, Wayne Radcliffe, Gerald
Schuler, and Thomas Jaslin enter not guilty pleas to all charges handed down by the
Philadelphia grand jury.
November 24, 1987 - Robert Shireman, ISC financial executive pleads his guilt in the ISC
$billion fraud and scandal.
November 25, 1987 - Anthony Stagq, ISC executive in charge of Singapore operations,
pleads guilty in the Arms Export violations.
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November 27, 1987- ISC Executive Larry Resch pleads guilty to his role in the massive
contract fraud in the Ferranti/ISC merger of November, 1987.
December 3, 1991 - Philadelphia grand jury hands down a "superseding indictment",
clarifying the money laundering portion of the charges. The indictment states that between
November of 1986 and June of 1989, Guerin looped $450 million through phony bank,
vendor, -and customer accounts to give the appearance several of the bogus ISC contracts
were real. The preceding information also allows for the possibility of an indictment of William
Clark, and possibly his attorney Joseph Roda. The largest of the fake contracts was the
Pakistan Missile deal, in which Larry Resch was charged and indicted by the
grand jury for managing. Stan Caterbone's best friend in the whole world, little "Abbey
Pflumm", shouts his name, "Taan", for the first time.
December 3, 1991 -Mike Hess, a former ISC engineer that also has done work for Stan
Caterbone, visits
Stan Caterbone to deliver all materials in his possession which is the property of the
Advanced Media Group, Ltd., Stan Caterbone and Mike Hess engage in an argument when
Mike Hess becomes annoyed at Stan Caterbones continued caution and suspicion of Mike
Hess's real motives and agenda for the relationship. Stan Caterbone had witnessed several
incidents of inconsistencies with the attitude of Mike Hess, with specific respect regarding
Stan Caterbone's efforts for justice and legal recourse concerning the affairs of 1987. Stan
Caterbone admitted in several occasions that he will never trust anyone, especially given his
former association with ISC, and most importantly his activities and travel to South Africa.
December 4, 1991 - Stan Caterbone calls the Citizens Commission of Human Rights, after
seeing the organization featured on the Murray Povich Show, and talks to Roy Griffen. The
organization's mission is to investigate abuses within the mental illness profession. Roy
Griffen requests information, and agrees to investigate his allegations. Stan Caterbone states
that he will Federal Express a copy of this chronology.
December 5, 1991 - At approximately 10:00 am, Stan Caterbone sent a package of
information via Federal Express (tracking number 9734766S93) to:
Roy Griffen
Citizens Commission for Human Rights
6362 Hollywood Blvd.
Los Angeles, CA 90028
(800) 869-2247
The package was received at 9:56 am (PST) by L. Mezkerlsl, at the front desk.
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December 5, 1991 - At approximately 4:52 pm, James Guerin pleads guilty to eight (B) grand
jury indictments of October 31. The indictments are as follows:
?? Criminal Conspiracy
?? Violation, Arms Export Control Act
?? Violation, Comprehensive Anti-Apartheid act.
?? Money Laundering
?? Securities Fraud
?? Filing False Income Tax Return
?? Aiding and Abetting the Commission of crime.
Sentencing is scheduled for February 25, 1992, with a minimum of 14 years, and a maximum
of Life in prison.
December 4, 1991 - Stan Caterbone receives uninvited visitors at his residence, cousin Sam
Miller family, who in September left him stranded in Florida. They conveniently need a place
to stay, while visiting in Lancaster, and purposely cause distractions to his efforts for legal
recourse.
December 11, 1991- Stan Caterbone finally requests that Michelle and Jason Miller vacate
his residence.
December 20, 1991- Stan Caterbone receivers a notice from the Internal Revenue Service
regarding a discrepancy in income reported on his 1989 Federal Income Tax Return. The
items in question were his "disability income" from Monarch life insurance and American
Helix "non-employee income".
December 23, 1991- Stan Caterbone responds to the IRS letter and submits a copy of the
chronology of this conspiracy, along with the entire audio transcript (2 - 90 minute cassettes)
of his meeting of September 29, 198? with the Pennsylvania Securities Finding of Facts
Resulting in Chapter 11 Bankruptcy Page 41 Commission and requests assistance in his
ordeal. The correspondence was sent via 'Return Receipt Requested" in order to insure proof
of delivery. Stan Caterbone sends an updated chronology to Roy Griffen of the Citizen's
Commission for Human Rights.
December 28, 1991- Stan Caterbone sends a formal notice to attorney Howard Cerny, 245
Park Avenue, New York, informing him to return the previously submitted information and
tapes regarding this case, and also informing him that he no longer wishes to discuss these
issues with him or any member of his firm.
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December 30, 1991- Stan Caterbone travels to the U.S. 9:50 am courthouse in Philadelphia,
PA, and personally delivers the chronology and a copy of the "1987" Pennsylvania Securities
Commission meeting to Chief Judge Bechtel, who is presiding over the ISC court preceding.
10:00 am Stan Caterbone visits the U.S. Attorney Generals office in the same building and
files a formal complaint, "Criminal Conspiracy to "cover-up" the International Signal a Control
scandal. The proper form is filed with the clerk. Assistant U. S. Attorney General Gray asks
Stan Caterbone to briefly describe his complaint. Stan Caterbone gives Gray the chronology
along with the tapes. Stan Caterbone briefly describes the meeting of June 23, 1987 with
Larry Resch, the nay 23, 1991 phone call from Jay Curtis, the arrests by Manheim Township,
and the attempts on his life. Agent Gray took notes, and said he is not
familiar with the case, but would personally see that the information is passed to the proper
authorities involved in the case. During the conversation, Mr. Gray asked the exact same
question that was asked by both Joe Roda and Investigator Eisler of the Pennsylvania
Securities Commission) "But you did not work for them (ISC), you were not involved with
them?" Stan Caterbone gave this response to all questions by Mr. Gray: It's all in there (the
chronology), all of the information and events".
January 6, 1992 - Stan Caterbone sends a copy of the criminal conspiracy chronology and a
complete audio transcript of the PA SEC meeting of 1987 to the legal counsel of the
Pennsylvania Securities Commission via Certified Mail Return Receipt Requested: P825 695
935.
January 8, 1992 - At a "Town Meeting" in Columbia, Pennsylvania held by U. S. Senator
Arlen Spector, Stan Caterbone personally delivers a copy of the criminal conspiracy
chronology to Anon Spector after the meeting and asks Arlen Spector to read the letter, Mr.
Spector replied, " I will do that".
January 9, 1992 - Stan Caterbone receives the Return Receipt from the Pennsylvania SEC,
signed by Sharon F. Heinspach on January 8, 1992.
November 8, 1997 Stan Caterbone solicits Attorney Matt Samley, of the law firm of Xelkallis,
Reese and Pugh, to provide a legal opinion as to the circumstances involved in the cover up.
Mr. Samley quickly asks if anyone had called Stan Caterbone about the issues. Mr. Samley
agrees to review the documents and will provide a legal opinion of any criminal and
prosecutorial misconduct.
November 23, 1997 - Stan Caterbone delivers materials to Mr. Samley and also sends via
Federal Express the same materials to Christina Rainville, of Shnader, Harris, Lewis, and
. With a letter requesting a legal opinion from Ms. Rainville.
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December, 8, 1997 - Ms. Pam Pflumm call Dr. Albert Shultz regarding the behavior of Stan
Caterbone.
December 15, 1997 - Stan Caterbone telephones Jim Christian to again confirm that he did
not have knowledge of his meeting with Mr. Larry Resch. Jim Christian began threatening
Stan Caterbone from public disclosure of these issues; he said, You have to forget about it.
Your life will be worse off than it is now, you better just forget it
January 14, 1998 - Stan Caterbone visits with Fr. Edward Lavelle for advice and guidance
concerning his situation. Stan Caterbone only asked that Fr. Lavelle call Mr. David Pflumm,
and ask he and is key employees refrain from inflicting any additional mental duress upon his
person Fr. Lavelle refuses unless he is told to do so by Dr. Al Shulz. He offers no further
assistance. 1:00 pm A few hour later, Stan Caterbone visits Dr. Al Shulz for his quarterly
appointment. Immediately upon entering the appointment, and before the plaintiff will speak
any words, Dr. Al Shulz will contemporaneously accuse the plaintiff and declare: Stan, you
are very sick. You are not well! You need to take additional medications. The recorded
transcript will prove the horrid implications of these conversations.
February 20, 1998 The plaintiff is forced to vacate his position of Controller of Pflumm
Contractors, Inc., due to the purposeful and intentional infliction of mental duress, perpetrated
as a direct reprisal against the Plaintiffs rightful pursuit of due process of the law concerning
all issues contained herein.
April 21, 1998 The Pennsylvania Department of Labor and Industry will again illegally deny
the Plaintiff of his legitimate claim for Unemployment Compensation Benefits, which again is
an act of reprisal against his rightful pursuit of fair access to the law, and his disclosures of
the incidents contained herein.
The Pennsylvania Department of Labor and Industrys 1987 rulings against the Plaintiff have
been also proven to be in err, which conveniently and intentionally subjects the Plaintiff to
financial hardship and mental duress, all purposefully hindering the Plaintiffs right to access
the law. The record of the plaintiffs claim for Unemployment Compensation Benefits is
corrupted.
Diary of Mental Duress Pflumm Contractors, Inc.,
I started to log incidents of mental duress in December of 1997 after the incidents became
consistent and demonstrated not be random acts of mere occurrences. This behavior and
malicious treatment was an extreme divergence from the previous 45 months of my tenure
and a polarization of my relationships with all employees involved, including Mr. David
Pflumm.
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Ms. Susan Bare (Office Manager, Reporting Directly To Me)
In December, her attitude became especially hostile toward me, upon many occasions
challenging my computer knowledge when in fact she has limited experience.

She had

continued to persist in wanting to change procedures, which I had repeatedly told her that
systems are reviewed at the end of the fiscal year, and any necessary changes would only be
made during the off-season, as in previous years.

She had continued to challenge my

authority, which was out-of -character, and not consistent with her job description. She had
often become upset and snippy when I would not go out and get her lunch, which was not in
my job description.

Mr. James Leonards, (Asphalt Paving Supervisor)


In the week preceding Christmas vacation, Mr. Leonards had requested that I submit a form
to Wholsen Contractors, which was incidental to any contracts. The form requested banking
accounts, which I had refused to answer. I would not release the corporate confidential
banking information to a General Contractor of whom we were at credit risk for collecting
payments for services rendered, not the other way around. Mr. Leonards continued to harass
me about the document, and kept waiving the document in front of my face. He continued,
and I told him to have Wholsen call me.

I had counted five incidents regarding this

document, which I never submitted. This information was immaterial to any negotiations with
Wholsen, and was intended only as a means of mental duress.
Mr. Leonards had shown interest in learning estimating software on the computer.

He

persistently requested the opportunity, and I had suggested that he evaluate competing
software before any final decisions were made. He had on his own, obtained a demonstration
of software, which he evaluated. It was not what we required, and before Christmas, I had
procured another demonstration disc for his evaluation.

He promised to evaluate that

software over the Christmas vacation. Mr. Leonards kept giving me excuses, and was never
evaluated., merely to inflict mental duress.
On many occasions Mr. Leonards insisted on challenging my computer knowledge with
incidental technical questions, knowing that I was becoming annoyed. Mr. Leonards only
began working on a computer at home, within the past several months.
On January 15th, I went out to start my car, and Mr. Leonards and Mr. Ralph Carruthers from
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the lobby door, made gestures at me thinking that I was leaving, when in fact I was merely
warming up my car. When I returned to the lobby, Mr. Leonards and Mr. Carruthers had
disappeared.
On or about February 24th, upon logging into my AOL account, a Buddy List message from
Mr. James Leonards appeared on my computer screen that said Stan is that you?. The only
way that I am able to receive Buddy List messages is to sign up for the service, of which I
had never done, which means that Mr. Leonards must have illegally accessed my account
and signed my account up for the service. The evening before, a neighbor saw me looking
for my cats with a spot light, and yelled Stan is that you?. This is certainly a clear example
of mental duress, among other electronic privacy violations.
Mr. John Brown, (Truck Driver)
On January 9th, Mr. John Brown was receiving his pay check and made the following remark
Stan, why didnt you go to Cancun with Dave, you look like one of those Mexicans.
LN Dockey (Office Assistant, part-time)
Consistently called my car phone upon leaving the office to ask where I was going, and when
I was coming back, which was none of her business. She reported to me, I did not report to
her. She knew that this annoyed me, and was out-of-character and inconsistent with prior
behavior.
Mr. Brian Langsett (Subcontractor)
Mr. Brian Langsett continued to make calls to my home, and during the week of February
20th, screamed and yelled into my voice mail, which resulted in my changing my line to a
private phone line. Mr. Langsett consistently left messages on my voice mail, knowing that I
was not going to answer them back.
Mr. Ralph Carruthers (General Manager)
On January 22nd, Mr. Ralph Carruthers entered my office and requested that I redo a pay
application for the Lancaster Township Park Avenue project that I had done. I informed him
that I had nothing to do with that pay application because I was on vacation. He stormed out
of my office, mad that I wouldnt redo the pay application and telling me that I had done it.
Immediately following his departure, Mr. David Pflumm stormed into my office and got inches
away from my face and said Do you and Ralph have a problem, what is your problem? I
nervously and quite upset said, Dave, I didnt prepare that pay application, I was on
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vacation. Mr. Pflumm replied, Yes you did. I immediately said, Dave, mental duress is a
serious matter, you dont mess with someones mind, like that you just dont play with
someones mind like this., I was on vacation Mr. Pflumm went on to say that I did do the pay
application. I asked him Do you have a problem with me? He replied no.
I later went to the file and retrieved the original pay application for Lancaster Townships Park
Avenue. Mr. David Pflumm with his handwriting prepared it. I later showed it to him and he
said nothing. THIS IS MENTAL DURESS.
Mr. David Pflumm
In August of 1997, I was responsible for the formulation, presentation, and collection of a
Change Order for the removal of rock at the Cecil County Community College, which we
subcontracted the work from e.e. Murray Construction Company.

We had negotiated a unit

price per cubic yard of rock removed, and we were required to document the measurements,
which accounted for a billing of some $275,000 to e.e. Murray.
I had spent several hundred hours on the project, most of which I had done at my office at
home. Through November, it became apparent that the e.e. Murray was trying to pass on
their own problems and mistakes with their contract with the College to us, in an effort to
relieve themselves of the $275,000 contractual liability they had with Pflumm Contractors,
Inc., This process was an enormous burden, given the impact the loss would have to our
financial, and especially considering that e.e. Murray had no legal loophole to avoid payment
to us, regardless of any dispute they had with the college. I had proven this through thorough
documentation and the specifics of our contractual arrangements.
My policy and the policy of Pflumm Contractors, Inc., up to this point had always been to take
legal action after all other efforts for collections and contract disputes have failed. I had
demonstrated an outstanding performance in reducing the amount of bad receivables, which
had almost caused the company into bankruptcy prior to my affiliation. More Mr. David
Pflumm had always demonstrated a hard line stance in all collection matters, even to the
extreme of causing the dismissal of his own employee for failing to reimburse the company
for a $700 repair bill.
negotiating.

Mr. David Pflumm was not known for his fairness or good faith

His tendency was to inflate production figures, and was lack in leniency to

anyone that owed him money. This was clearly demonstrated in past contractual disputes
with the Hershey Library, Dutch Family Inn, Consolidated Construction, and various other
small accounts. His policy was consistent no matter what the amount of the payable.

Mr.

Pflumm was quick to take legal action in all disputes as soon as negotiations proved fruitless.
As early as late October I had advised Mr. Pflumm that we were exhausting our efforts for
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collection of the $275,000 and that e.e. Murray was not negotiating in good faith and was in
my opinion engaging in fraudulent tactics. This transaction was of even greater importance
than any other bad receivable due to the fact that a majority of the funds at risk were pure
profits. As early as November, it was the advise of our corporate attorney, Mr. Matt Samley
of Xakellis, Reese and Pugh, that a civil law suit should be immediately filed. I had Mr. Matt
Samley detail all of the legal parameters of his legal opinion supporting his contentions.
In November, I had informed Mr. David Pflumm that I personally removed myself form the
dispute on the grounds that e.e. Murray Construction Company was not acting in good faith, I
had exhausted all available resources and means of collecting the monies without a civil law
suit being filed, and Mr. David Pflumm refused to take legal action.
By my departure on February 20th, all efforts for collecting the $275,000 proved fruitless, and
Mr. David Pflumm continued his procrastination of filing a civil lawsuit. I am of the firm belief
that the many of the negotiations and situations surrounding the collection of payments from
e.e. Murray was strategically used as ploy to inflict mental duress for the following reasons:
1

I had exhausted most of my time during September, October, and November


while also managing my regular duties, and had requested a fee for the collection
of funds that was well beyond the scope of my duties.

e.e. Murray Construction Company had no legal foundation for not paying
Pflumm Contractors, Inc., regardless of whether e.e. Murray collected the funds
from the Cecil County Community College.

e.e Murray had collected enough funds from Cecil County Community College in
January, and still refused any payment to Pflumm Contractors, Inc.,

Mr. David Pflumm had exhibited and demonstrated an extreme sense of leniency
toward filing a civil lawsuit that was unprecedented during my tenure and in the
history of the company.

Over half of the $275,000 was cash for the company.

I allege that during the month of February, communications were used to deceive
the true nature of the situation.

Mr. Pflumm had always taken my advice on such matters during my tenure.

Lastly, the only reasonable explanation for not filing a civil complaint is that the
situation was not being truly disclosed by Mr. David Pflumm and e.e. Murray and
that a lawsuit would become public record and has adverse and irrevocable
damages to e.e. Murray Construction Company.

In late January Mr. David Pflumm laid a large envelope addressed to his home on my desk.
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Inside was a letter addressed to me from Airways Charter Service, including a brochure
depicting a plane, identical to that which was illegally repossessed from me in 1987. This was
clearly a demonstrated tactic for mental duress. In the history of my tenure, we have never
discussed or had any remote need for such a service, and more importantly, the package was
addressed to Mr. David Pflumms home.
On week of February 20th, Mr. David Pflumm had provided me with documentation that
required my signature from Town & Country Leasing for my automobile that that had I signed
would have given the leasing company the right to repossess the automobile at any given
time while providing me with no legal recourse to prevent such repossession. Mr. Pflumm
had agreed to personally guarantee the payments for the automobile for the duration of the
lease, under any and all circumstances. He has breached his agreement.
During the weeks preceding my departure, in the course of my travels, I had passed many
employees on many different occasions during the course of the day. On every occasion, not
one employee would acknowledge me with a gesture or waive.
During my tenure at Pflumm Contractors, Inc., not only did I resurrect the company from near
bankruptcy, and restore the company to the best financial condition it has ever experienced,
even as important was the management policies that I had implemented that had for the first
time given the employees fair and equitable place of employment. And their gratitude was
often displayed and demonstrated toward me. The behavior of the company, as a whole, was
drastically out of character and malicious, which had resulted in a hostile environment directly
threatening my mental welfare. There is not a reason in the world where I should have been
so maliciously treated. The pain and suffering was so great, that I specifically sought the
advice and help of Fr. Edward Lavelle on January 14th, in the Office of the Bishop.
Any further detail to this document would greatly compromise my rights for any future
litigation, which may or may not transpire.
I Attest,
Stanley J. Caterbone

August 2001 AIM Management Company begins to systematically sabotage my business


with al l of the Wholesale Representatives and Advanced Media Group, which resulted in the
loss of approximately $50,000 per year of revenues. This was is the beginning of the loss of
my earning capacity to present.
2002 to 2004 Day trading business was again sabotaged by malicious mirror trading of my
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stock portfolio resulting in the loss of profitability on my trading transactions. Persons and or
organizations would systematically trade against me while also employing techniques of
psychological tactics to distract me from concentrating on my own instinctive nature and
financial analysis required for profitability.
Dec 16, 2004 Plaintiff sends a complaint to Agent Sarsfield of the Pennsylvania Attorney
Generals Office in Pittsburg regarding illicit telephone activities:
December 15, 2004
Commonwealth of Pennsylvania
Office of Attorney of General
Bureau of Consumer Protection
Pittsburgh Regional Office
6th Floor, Manor Building
Pittsburgh, PA 15129
Attn: Ms. Shannon J. Sarsfield
Ref: Verizon Customer Relations, C-006142-2004
Dear Ms. Sarsfield:
I appreciate your review of the aforementioned file. I was also in receipt of the November 19,
2004 response of the complaint from Verizon. For the record, I have made several previous
attempts prior to the July 28th request to be place on their Do Not Call list. I had made
several calls in the previous months, and the calls did not stop. My telephone has been used
as a means of harassment and intimidation, with my calls often being intercepted,
misdirected, or impersonated. And often calls from Out of Area made several times a day,
with no answer. If you were to do an audit of my calls (in/out) over the last several years, you
would reveal the nature of these activities.
Dec 16, 2004 Plaintiff sends a complaint to Agent Sarsfield of the Pennsylvania Attorney
Generals Office in Pittsburg regarding illicit telephone activities:
December 15, 2004
Commonwealth of Pennsylvania
Office of Attorney of General
Bureau of Consumer Protection
Pittsburgh Regional Office
6th Floor, Manor Building
Pittsburgh, PA 15129
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Attn: Ms. Shannon J. Sarsfield
Ref: Verizon Customer Relations, C-006142-2004
Dear Ms. Sarsfield:
I appreciate your review of the aforementioned file. I was also in receipt of the November 19,
2004 response of the complaint from Verizon. For the record, I have made several previous
attempts prior to the July 28th request to be place on their Do Not Call list. I had made
several calls in the previous months, and the calls did not stop. My telephone has been used
as a means of harassment and intimidation, with my calls often being intercepted,
misdirected, or impersonated. And often calls from Out of Area made several times a day,
with no answer. If you were to do an audit of my calls (in/out) over the last several years, you
would reveal the nature of these activities.
Dec 16, 2004 Approx 1:00 pm Plaintiff meets with Michael Landis, County Detective for
Lancaster County, in his office at the Lancaster Courthouse to discuss J. Karpathious and
death threats and the Southern Regional Police Department. Plaintiff sends email to Michael
Landis and a copy of the 1998 Affidavit in the email. Supreme Court announces plans to
review Lambert Appeal the next day.
Dear Mr. Landis,
Thank you for taking the time to meet with me yesterday. I appreciate your time. I understand
your frustration in trying to understand the circumstances regarding my situation. I have
enclosed a document, which I authored in 1998 to help you. Also, if you could, maybe you
could help to facilitate my application for food stamps with the County Assistance Office. I
would appreciate it.
Feb 18, 2005 - Plaintiff sends the following letter to the Chief of Police of the Southern
Regional Police Department:
February 18, 2005
Chief John A. Fiorill
Southern Regional Police Department
3284 Main Street
P.O. Box 254
Conestoga, PA 17516
Dear Chief Fiorill:
I am very disappointed in the way that our meeting had ended. I will be filing complaints With
the appropriate authorities concerning the threats and abuse by Officer Busser. Remember
you had requested that meeting. And as you stated, I do not believe anything that you say,
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well Sir, that is certainly your choice, however I have never provided anything but the truth to
you or any member of your department. The burden of proof to my allegations falls within
your jurisdiction. If you are telling me that I have to prove every allegation when I report a
crime, I just dont know how that is possible. But you are the Chief of the department, so I
guess I will have to protect my person and property in any manner that deems appropriate. I
apologize for becoming loud and frustrated, however when you tell me that I am lying and I
am most certainly telling the truth; and then you and Mr. Busser yell that I am nuts and to get
out of here; and that no one will respond to any of my calls to your office, well we have a
very serious problem. You both have challenged my integrity, my truthfulness, credibility, and
my sanity. And Mr Busser pulling out his night stick and holding it up to hit me, that is more
than enough for me.
I get the picture loud and clear. I hope that you do as well.
Cc: Donald Totaro, Lancaster County District Attorney
Feb 19, 2005 Plaintiff files the following complaint with the The Internet Fraud Complaint
Center (IFCC) after the incident of Kerry Egan calling 911 to file a false report of plaintiff
sending an email stating to kill himself.
Saturday, February 19, 2005
The Internet Fraud Complaint Center (IFCC) is a partnership between the Federal Bureau of
Investigation (FBI) and the National White Collar Crime Center (NW3C).
February 19, 2005 7:26 am
At approximately 5:00 am this morning the Conestoga Police entered my home and accused
me of sending an email to Kerry Egan threatening to kill myself. The officer verbally and
physically abused me because I did not know what he was talking about and he kept
interrogating me and handcuffed me because I said that I was not on the internet after 10:00
pm on February 18, the evening before. The officer told me that I sent an email to Kerry Egan
and she called 911 at approximately 5:00 am this morning. I told the officer that I did I fell
asleep at approximately 1:00 am and did not awake until the officer arrived at my house. The
officer was quite abusive and tried to accuse me of lunging at him, when in fact he was
throwing me around. Pam Pflumm, who previously filed trespass charges against me, and
whom I was to have no contact with, illegally entered my home with the officer, via a key
which I had kept on the deck. Before they entered my home, I called 911 and requested that
the Pennsylvania State Police come to my aid because of the verbal and physical threats that
I received earlier in the day from Officer Busser and Chief of Police Fiorill of the Southern
Regional Police Department. After they had left, I took a shower and almost collapsed from
exhaustion and trauma. I got dressed and went to the emergency room of Regional Hospital,
former Saint Joseph Hospital. Dr. Laird attended to my concerns.
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Feb 20, 2005 Plaintiff calls Southern Regional Police Department and Humane League to file
formal complaint of Cruelty to Animals. Both refused to investigate or file any reports.
Complaint phoned in to the Humane League on Feb 20, 2005 As described to a Letter To The
Editor, Gil Smart While I was away for a family emergency, I had someone let my two cats
out after being inside for a few days, which I have always done in the past. I returned after
being in South Florida for one week. Upon driving toward my driveway, my one cat was
anxiously awaiting my arrival. However, my second cat was not there. This was an immediate
cause for concern, since being mother and son; they had always stuck together. After a few
days I knew that my cat was either abducted or was harmed. No way would he be around and
not come home. The other evening I went over to my suspect neighbors home, which I know
often has been mischievous toward my property in the past, and asked him if he saw my cat.
He went on to tell me how big my cat is and how he is the "king of the neighborhood". I found
this conversation to be typical bull.... He said "don't worry it will show up soon!" Last evening I
found my dead cat lying by my pond with a possum chewing on its ear. I examined the body
and found that its neck had been broken with no other signs of any other wounds. I called the
Humane Shelter and talked to a Cruelty Officer who said" There is nothing we can do if you
did not see anyone physically harm the animal Is this the way it is? You have to prove a
crime before they will investigate? Sounds a little backwards to me, but then again I often
forget where I am at.
Feb 21, 2005 Plaintiff sends letter to Fulton Bank regarding the death of Thomas Caterbone
and the alleged indiscretions and illegalities of the activities of Fulton Bank.
Monday, February 21, 2005
Project Hope
Mr. Scott Smith
Fulton Financial Corporation
One Penn Square
P.O. Box 4887
Lancaster, PA 17604
Dear Mr. Smith:
The reason I had called you on Friday morning was to discuss an outstanding issue with you.
I am not threatening you or coming to you as an adversary, but rather just trying to
understand how your institution can be so cold and rude to my family. On Thursday I visited
the Manor Branch to discuss the account for Tom's Project Hope, our nonprofit foundation
that advocates awareness for suicide prevention, with a focus for teenagers. Of course this
foundation was founded after the suicide of my youngest brother, Tom, in 1996. Well, I never
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had so much trouble trying to gain access to our account's statements than I did on that day.
All that I heard was how much I would have to pay to get copies of the statements. Which in
itself is a little disheartening, considering we are a non-profit giving something back to the
community. We are a major donor for CONTACT Lancaster. And it is this attitude that
inspired me to address the very reason Tom's Project Hope was unfortunately founded. I had
asked the Customer Service person what would happen if I made an attempt to deposit a
check in an account that did not have funds available at that time. She said "we have to give
you the choice to deposit the check or wait until there are funds". I said are you sure, she said
"oh yes, you have the choice to make the deposit or not". I said that is what I thought was the
policy or rule. In 1996 my brother, Tom, had his accounts with your bank. He was given a
check in the amount of approximately $60,000 by an account from Ms. John Depatto.
Forgive me but I do not have the energy to retrieve all of the details at this time. My brother
went to the Manor Branch to deposit that check, and was refused on at least 3 occasions from
making that deposit. I know this because he was calling me asking for advise and help. I
remember telling him to seek legal counsel because this was not right. Your tellers refused to
take the check for deposit because there were no funds available. I kept telling him that this
was wrong and that he should make the deposit incase funds became available the check
would be honored. But your tellers kept refusing to make that deposit. I then went on to learn
that funds did become available and were paid to other entities that had NSF checks waiting
for funds, which would have been behind my brothers check had your tellers accepted that
deposit. If you carefully review the financial problems my brother encountered prior to his
death, you would see that this was the one transaction that started a spiral of events that
caused him a great amount of stress and duress. And I know this because I was trying to help
him. I eventually took him to the emergency room of St. Joseph Hospital just 4 days prior to
his death.
Now, Sir, you tell me how you would feel if you were in my position, and what would you want
to happen. I have kept this to myself for far too long, and since I have had my own problems
with your institution in a similar way back in 1987. I would like to understand why we are
treated like this, and ask that these matters be addressed. Put yourself in my position, would
you want anything less?
Feb 22, 2005 Plaintiff sends email to Lancaster District Attorney Donald Totaro after
Supreme Court announces the Supreme Court of the United States is reviewing Lambert
Case, one day after Plaintiff reviews affidavit for the first time in 7 years.
Dear Don:
Just so there are no misunderstandings, I have never had, nor do I have now, any information
regarding the Lambert proceedings. I have never spoken to anyone concerning the same. I
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am very suspect as to the timing of this announcement and find it very disturbing given the
document that I had innocently resurrected after 8 years. My only intent in writing that
document was to find resolve for my own tragic situation. I believe a jury trial would have
been the only fair way for an equitable resolution to this case. Had that occurred in the
beginning, I don't believe we would be confronting this issue today. I meant no disrespect
toward your office or that of the state. As far as the police, it is the same, except that I was
very angered at the few that have treated me with such malice, which is in no way a
condemnation for the men in blue. I was literally fighting for my life, and still continue to this
day.
Feb 26, 2005 Plaintiff sends letter to President Bush and White House staff addressing
concerns regarding National Security Issues and this case and receives positive signal to
proceed to court. Iraq
National Security
To: President George W. Bush
From: Mr. Stan Caterbone <amgroup01@msn.com>
Subject: Write a Supporting Comment on National Security (Iraq)
Dear President Bush:
I need to know if any information contained herein compromises the security of the United
States of America. I have been getting mixed signals as to this question, and my life has
been constantly threatened because of this document. I would submit to a polygraph to verify
the credibility of any of the facts contained in this document. I was the sole author of this
writing back in 1998. If you believe that this document does threaten our National Security, I
would like to personally deliver the accompanying information assets to yourself or the
National Security Agency upon request. If you believe that this document does not
compromise the National Security in any manner, then I would ask that you uphold my civil
liberties in continuing my efforts to adjucate these matters and find an opportunity for remedy
in the appropriate court of law.
March 10, 2005 Lancaster Newspapers, Inc., illegally removes my privileges to post on the
Lancaster Online Chat Board.
March 14, 2005 Plaintiff files complaint to the American Civil Liberties Union of Philadelphia,
PA after the Intake Director directed plaintiff in filing protocols.
March 14, 2005
American Civil Liberties Union Of Pennsylvania
Philadelphia, PA
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intake@aclupa.org
Re: Complaint
I have had many persons levy attacks and harassment upon me with explicit statements
defaming my character and slandering me with such statements as calling me "insane, crazy
and nuts". I have been abused, both emotionally and physically, which are a matter of record,
by the Southern Regional Police Department, formally the Conestoga Police Department. I
have had several fabrications and false reports concerning alleged suicide attempts, all of
which have been proved to be total lies. There has been total disregard for my civil liberties
and numerous violations of my civil rights. All of these incidents are intended to provoke and
illicit the very same behavior they accuse me of; that of being mentally unstable.
The reason for this is simple, to discredit my allegations and to prevent me from taking legal
action and to block access of due process against the private and public entities of the
County of Lancaster, and the Commonwealth of Pennsylvania. These attacks, harassment,
and intimidation began in June of 1987 and continue today. In the last several weeks, in the
matter of 4 days, I was detained and abused by Police in the middle of the night on 2 different
occasions. At 4:00 am one morning a person called 911 and reported that I had emailed a
message threatening to commit suicide, proven to be a lie. I had a Police Officer raised his
nightstick and threaten to hit me while he was in a violent rage, only to have another officer
take step in and disarm him. I have had the Police literally break into my home, because I
would not open the door, for fear of my safety after being abused the previous day. The
officer handcuffed me and shoved me around because I would not admit to wanting to kill
myself. In the last several weeks I have had no less than 6 persons attack my mental stability
and in an effort to break me emotionally. In 1987 I had made public allegations of fraud
against a Defense Contractor, International Signal& Control (I was a shareholder), after a
meeting in which they wanted me to finance some questionable activities. From that meeting
forward, these illicit and malicious acts have been occurring quite frequently. It cost me
money, financial opportunity, friends, time; and everything imaginable except my life. And
there was at least one attempt on that. In 1987 ISC was in the midst of a multi-million dollar
merger with the British Defense Contractor, Ferranti International. My allegations caused
grave consequences to that deal. Four years later executives of ISC were indicted for the
"largest fraud in U.S.
History"; ($1 Billion dollars), and for exporting arms to Iraq by way of South Africa. In 1987,
when I made these allegations, I was making the first digital movie; ironically, I received the
original patent research materials days after that meeting with ISC, from a prominent patent
law firm in Philadelphia. I have been
Arrested at least on 6 occasions, and the most outlandish, for stealing my own files from my
own office. I have spent 6 days in prison. I have been taken to the Hospital on 2 occasions,
and have been detained by police on several other occasions for persons making false claims
that I threatened to commit suicide. I have never been convicted of any crime, and all
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charges are conveniently discharged before any court proceedings. All charges of suicide
have been proven to be false allegations and fraudulent false reports. In the last week, I had
obtained my medical records from the Regional Medical Center, while I was maliciously and
fraudulently admitted there after my arrest in 1987, and there are 3 reports from 3 different
psychiatrists which all reveal that there was never any attempt by anyone in the Hospital
administration or medical staff to validate any of my statements; which in and of themselves
were used to indict me and support the diagnosis of manic depression. Of, course, all of my
statements were true, which all are methodically proven in the following supporting
documents. I have had my airplane, loaded with all of my files, repossessed in the middle of
the night by the Common National Bank of Lancaster (Mellon), before any payments were
due. This happened immediately after my meeting with International Signal & Control, in
1987. I was trying to find safe haven in Stone Harbor, New Jersey, where we were making a
movie. Tony Bongiovi, of Power Station Studio in New York, had solicited me to help him
produce the 1st Digital Movie, again in 1987.I have been precluded from any seeking any kind
of remedy in the courts due to the sensitive nature and involvement of National Security
issues. It has been reported that the CIA and National Security Agency were all involved in
covert and possibly rogue activities with ISC and the export of arms to Iraq (Cluster Bombs).
This was one of the questions that Robert Gates had to answer in his Confirmation Hearings
for Director of the CIA in 1990 by the Chairman of the Committee (I have the CNN video).
There was also a "Presidential Finding" that was said to be filed by then President George H.
Bush regarding the same. The following are supporting documents and complaints that I filed
and are forwarding to you:
March 23, 2005 Letter to Phi Wenger, President of Fulton Bank;
Email to Phillip Wenger
President of Fulton Bank
Lancaster, PA
Phil:
For the Record1. The Project Hope Account; Project Hope was founded in 1996 with it's mission stated
in its non-profit organization charter to raise funds for the intention of contributing to
the education and awareness of mental illness and suicide prevention. Since it's
inception, I was the sole administrator of all monies that were dispersed and donated
to various local organizations to further that cause. These relationships included; The
Lancaster County Mental Health Alliance, The Schreiber Pediatric Center, Contact
Lancaster. I also was responsible for the local production of the video "Numbers Don't
Lie" (educational video for teenage suicide prevention) and distributing that video to a
host of local schools, churches, and faith based organizations. Since about 2001,
Project Hope has not made any contributions from it's account, while at the same
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time continuing to raise funds from the annual golf tournament. In excess of $9,000
was accumulated. Every year I questioned Phil and Mike about the contributions and
what organization they were going to give the money to. In December of 2004, Lois
Gascho, Executive Director of Contact Lancaster, personally called me asking if we
could help her with some money. At that time, her affiliation with the League of
Churches had been terminated and Contact Lancaster was without funding, and the
24/7 Suicide Hotline for Lancaster was at risk of being shut down. I told her I would
contact my brothers and get her some help. There was an article in the Lancaster
Newspapers about the funding problems and I emailed Mike, Phil, and Jimmy
Karpathious the article and message that Lois called me asking for help. Nothing was
done. I kept trying to tell them that they were not operating the Project within IRS
guidelines, and their non-profit tax-exempt status was in jeopardy for not distributing
the monies accumulated, as required in the IRS regulations concerning the same.
When I was down at Mike's last month, I found the account statements for Project
Hope and being that I am a Signatory on the account, took the entire file with me and
started to disperse the monies. I made one check out to Lancaster Contact for $2500.
When I met with Lois Gascho of Contact Lancaster to give her the check, she wanted
to give me a tour of the facility where the suicide hotline operates. While visiting, she
was saying how difficult it is to find volunteers to staff the hotline. I suggested that I
could design systems, with technology, that could allow volunteers to staff the hotline
while working from home. This would help Contact Lancaster a great deal in
attracting more volunteers to help staff the hotline. Remember, the hotline is located
downtown, and volunteers must come and go during all hours of the night to staff the
hotline. I designed a conceptual system and called D&E Communications to provide
a proposal to provide the required software and telecommunications technology to
build the system. I expect to receive that proposal on Friday. I will be making a legal
challenge to gain control of that account with the Internal Revenue Service and the
Tax-Exempt status of the Project.
2. Fulton Account When my Mom got sick while in Florida, it was determined, by her,
that she could not live alone anymore. Our house at 1250 Fremont Street was in dire
need of painting and other maintenance for sometime. I told my mother that I was
going to do these tasks now, incase we have to sell the house. They house is 2
stories, which is more difficult for my mother to live in. In January I decided that I
would make sure the house is ready to put on the market by springtime, and if we
decide not to have to sell the house, it would be already done and could be sold at
anytime without any repairs needed. At the same time, I setup the Fulton Account
with online banking so that I could manage my mothers bills, and pay them from
Lancaster without having her try to take care of this herself. My mother memory has
been a deteriorating problem since the fall of last year. To give you an example,
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while in Florida last month, I was taking my mother out for breakfast, we were driving
around looking for a restaurant, and she looked at me in the car and asked if we had
eaten yet! She agreed that it would be best that I manage her bills, hence the Power
of Attorney for the Fulton Account and online banking. The $2,000 transfer was for
the renovations at 1250 Fremont that I am currently doing. I will now fund that project
myself, because I do not want to be bothered with this at a later time. So, there you
have the truth about the accounts. So be it.
May 2, 2005 Plaintiff files a complaint with Capital Blue Cross
May 2, 2005
Capitol Blue Cross
Adult Basic Program
P.O. Box 777014
Harrisburg, PA 17177-7014
Re: Policy H200460959 & Policy Laps
As per my meeting in with your customer service representative on Friday, April 29th, at your
home office in Harrisburg, this is a letter of appeal for the lapsed policy and also a letter
containing the complaints concerning the charges from the Lancaster Regional Medical
Center and Dr. Laird, the attending emergency room physician, on February 19th, 2005, as
per the request of the customer service representative.
1) As per the lapse in policy, I was told by Kay Richmond, of Cash Processing Services
(717-541-7262) on several phone calls that there was a 30-day grace period. She had
told me that although it is not stated, there is a 30 day grace period for your policy. I
had called because my mail has been tampered with, and I questioned the rule of no
grace period, and the policy being dependant on Blue Cross receiving my payments
via the mail. If this person who misrepresented herself to me as a representative of
your company was not who she said she was, this would certainly not be the first
time. Enclosed you will find a complaint that I filed with the Agent Shannon J.
Sarsfield, of the Pittsburg Regional Office of the PA Attorney General. In that
complaint I stated, My telephone has been used as a means of harassment and
intimidation, with my calls often being intercepted, misdirected, or impersonated.
See the enclosed copy of the complaint.
2) As per my reason to visit your home office on April 29th, to discuss the charges from
the emergency room visit on February 19th, I have enclosed all relevant documents
for your use in determining the validity of the charges from both Regional Medical
Hospital and the emergency room physician, Dr. Laird. Please direct any and all
communications to me at the above address or amgroup01@msn.com, or phone
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717-380- 5903.
June 2, 2005
Commonwealth of Pennsylvania
Judicial Conduct Board
RE: Commonwealth of Pennsylvania v. Stanley J. Caterbone
District Court 02-2-06
Docket Number NT: 0000132-05
Commonwealth Court of Common Please
Appeal Docket No. CP-36-SA-00000141-2005
Explanation of Complaint
1. Previous to hearing, I entered the offices of the District Magistrate and requested a
meeting with him to review the rules for procedure for his courtroom. He belligerently
yelled at me and told me that I will determine who is guilty in this case and threw me
out of his office. 2. I immediately contracted the Lancaster County Court Reporters
(LCCR) service to record the hearing.
2. I requested and paid a service fee to have 4 witnesses subpoenaed for my defense.
Prior to the start of the hearing, the District Magistrate never gave me an opportunity
to explain the reason for calling my witnesses, and collectively dismissed all of my
witness without an opportunity for me to explain how they were involved with this
case. During the brief discussion that was on the record, the District Magistrate
intimidated and threatened me with court sanctions when I tried to explain how the
witnesses did have personal knowledge regarding the case. Two of the witnesses
were officers of Lancaster County and were called by me to investigate a crime, in
which both refused.
3. At the conclusion of the hearing the District Magistrate threatened me with offensive
language again with court sanctions for merely trying to understand why he was
violating the rules of conduct and the rules of procedure for the Commonwealth of
Pennsylvania.
4. A few days after the conclusion of the hearing, I entered the offices of the District
Magistrate to pay for the fines and penalties sanctioned by the court. I first, asked
whether I would have to pay before I entered my appeal to the verdict. They refused
to provide any explanation, other than you will have to get an attorney, we cannot
answer that question. I immediately paid the fines knowing that I would appeal the
case.
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5. After receiving the transcript for the LCCR, I found a blatant lie in the transcript.
When asked whether a witness had personal knowledge about the case, the transcript
reads NO. Now before I subpoenaed my witnesses, I reviewed the rules of
procedure and was knowledgeable of the rules for personal knowledge of a witness,
and would not have answered no to that question because they did have personal
knowledge.
6. The District Magistrate was intimidating me and obstructing justice by trying to deter
me from filing CIVIL ACTION NO. 05-2288 IN THE UNITED STATES COURT FOR
THE EASTERN DISTRICT OF PENNSYLVANIA, which I filed on May 16, 2005. The
case was filed with a Motion to Seal on the same day.
PRIVATE
CRIMINAL COMPLAINT
Docket Number:
The acts committed by the accused were: (Set forth a summary of the facts sufficient to
advise the defendant of the nature of the offense charged. Activation to the statute allegedly
violated, without more, is not sufficient. In a summary case, you must cite the specific section
and subsection of the statute ordinance allegedly violated.
Defendant did knowingly and willingly block plaintiffs access to the door to exit store in an
attempt to intimidate and harass, and after plaintiff tried to avoid the defendant and exit the
doorway, defendant did engage in an illegal sexual act by grabbing and squeezing the
defendants buttocks with an inappropriate gesture with the defendants finger while squeezing.
This lude act was in the strictest violation of Pennsylvania statutes concerning sexual
harassment. Witnesses were present both behind the checkout counter and waiting in line at
the checkout counter. Plaintiff requests the Commonwealth of Pennsylvania to prosecute the
defendant to the fullest extent of the law. All of which were against the peace and dignity of
the Commonwealth of Pennsylvania and contrary to the Act of Assembly, or in violation of
and (Subsection) (Section) of the (PA Statute). I ask that process be issued and that the
defendant be required to answer the charges I have made.
I verify that the facts set forth in this complaint are true and correct to the best of my
knowledge or information and belief. This verification is made subject to the penalties of
Section 4904 of the Crimes Code (18 Pa.C.S. 4904) relating to unsworn falsification to
authorities.
June 11, 2005
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Defendant did knowingly and willingly block plaintiffs access to the door to exit store in an
attempt to intimidate and harass, and after plaintiff tried to avoid the defendant and exit the
doorway, defendant did engage in an illegal sexual act by grabbing and squeezing the
defendants buttocks with an inappropriate gesture with the defendants finger while
squeezing. This lude act was in the strictest violation of Pennsylvania statutes concerning
sexual harassment. Witnesses were present both behind the check*out counter and waiting in
line at the checkout counter. Plaintiff requests the Commonwealth of Pennsylvania to
prosecute the defendant to the fullest extent of the law. Verify that the facts set forth in this
complaint are true and correct to the Recent Police Reports & Status of Ongoing
Investigations
1. Break-In reported on June 12, 2005: As reported to the officer, Adams? who came
to take my report, I left my home at approximately 2:30pm, with all doors locked. At
approximately 9:15pm, I entered through my garage door and found my back door
wide open. I also reported a Honda file missing, which I have since located.
2. I am requesting the status of the complaint that I reported to Officer Berger on June
10 concerning the sexual harassment by Mr. Thomas Grassel on the same date.
3. During my visit by the officer on June 12, I again asked if anyone in the department
had questioned Mr. David Pflumm regarding access to my home. As I have stated in
just about every complaint about a break-in over the past six months, On
Thanksgiving day, 2004, Mr. David Pflumm, his son Keagan, and daughter Lizzy,
approached my home. I wanted NO personal contact with them, and made sure my
doors were closed and locked. After several minutes of knocking on my back door, I
went down to the basement hoping they would leave. They instead went to my front
door and basement door and kept knocking. I was located in the rear of my
basement, waiting for them to leave. Suddenly, Lizzy and Keagan appeared in my
basement asking why I did not answer the door. I quickly asked them how they got
into my house. First they said the door was opened, and then they said Keagan used
a credit card to open my back door. They said Dave was upstairs in my kitchen. We
walked upstairs and I quickly asked Dave how they got into my house, he responded,
We have lots of keys. Now with all of the reports of people breaking into my house,
and the fact that I first reported the above event to Officer Berger in December with
the report of my missing remote control, I will again ask you why your department
refused to question the Pflumms regarding keys to my house?
4.

During my interview last evening I showed the officer the letter from Mr. David
Pflumm dated June 2, 2005, which was served to me by a Pennsylvania Constable
from District Justice Leo Eckerts office at approximately 9:30 am on June 10th on
Stone Hill road in front of my mailbox. The officer said, We have a copy of that
letter, and are aware of that. I requested the officer to take the letter and my
response, sent via facsimile to Pflumm Contractors on June 10th, to you. The officer

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refused to take the letter. I asked him to take my statement regarding the same, and
he refused. I asked him why he would not take my statement, if you have a copy of
the complaint from Mr. David Pflumm? He said, I am going home. I called him
corrupt and said that the whole department was corrupt. I attest to the above
statements as the truth and request a copy of all of my complaints, reports, and calls
to your department, as defined and authorized under the Freedom Of Information
Act, and according to the laws governing the same by the Commonwealth of
Pennsylvania and the federal rules governing the same.
Friday, July 1, 2005 12:00 PM - 1:00 PM: Stan Caterbone files for Chapter 11 Bankruptcy
Protection in the U.S. Eastern District Bankruptcy Court in Reading, PA at the Clerk of
Courts, pays fee 255.00.
July 5, 2005 - Advanced Media Group issues a stock certificate to Sheryl Crow for a donation
to the Scouts Trail charity fund; which was to be build in Kennett, MO beside the Sheryl Crow
Aquatic Center.

The stock certificate is being held my the Kennett MO Chamber of

Commerce.
July 17, 2005 Posted message on the Sheryl Crow Fan Forum
Advanced Media Group
registered: 4/19/2005 00:00
posts: 5
A new business model? This is a digital revolution. The music industry and consumers are
experiencing a conversion from physical mediums (cd's, videos, dvd's) to electronic files
stored in cyberspace and on mp3 players. Musicians and Artists are facing a legal dilemma in
light of the preceding -How to protect ownership, intellectual property rights, and most
importantly royalties from their music. Look at the statistics. CD sales and revenues are going
down. Who needs to own a CD collection when you can pay Rhapsody $10.00 a month fora 1
million song catalogue with digital quality, accessible 24/7? In addition, you have the
capability to port any song or albumto your mp3 player at half the cost of a CD. Convergence
of mediums is what is driving the partnership between Dell and Sheryl Crow. They are leading
the curve with this new technology for home entertainment. And it is not just about music.
Sheryl and Dell are pioneering a new approach at formulating a new business model that
helps her contemporaries meet the challenges facing the music industry at large. The
musicians continue to enjoy making more music, in light of the fact that they have been short
changed during this process. When was the last time you saw an artist go on strike? And what
perfect timing to introduce a new album and tour.
I suspect it was all by design by professionals that understand thier markets, thier consumers,
and thier respective products. Give it a chance to play out before passing judgement.
posted: 7/17/2005 10:09
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September 30, 2005 Yarnell - Security system malfunction garage door not on line <end>
October 01, 2005 Yarnell Calls 2 times Woke and found 2 calls from Yarnell Security <end>
October 02, 2005 Yarnell Security Dispatcher said someone entered house, aborted alarm at
9:21am and changed the Master Code. Said she would reset. Code changed from 4115 to
2115. I told her she had a security breach. Mr. Yarnell called me back and told me to stop
calling his office.
October 04, 2005 Judge Mary McLaughlin Resubmit original complaint of 1998 affidavit via
fax <end>
October 05, 2005 AB UNITED STATES TRUSTEE'S RESPONSE TO ORDER TO SHOW
CAUSE WHY THE DEBTOR'S BANKRUPTCY CASE SHOULD NOT BE REINSTATED On
September 21, 2005, this Court entered an Order to Show Cause why, in light of and Brief,
his ...
October 05, 2005 - Comcast Cable
October 06, 2005 - Superior Court of California Filing Filed petitions for estate, and cause of
death.
October 06, 2005- East Lampeter Police Arrest
Filed with California Superior Court for Sammy's Petitions via Willow Street Post Office. Then
headed to Cingular on Lincoln Hwy East, stopped for lunch at Brasserie. Girl jumped in front
of me going in, Sheryl Crow look alike. 2 girls, noticed SU, with convers...
October 07, 2005 Paid Conestoga Police Speeding Fine From Sunday
October 07, 2005 District Justice Savage see 1987 <end>
October 10, 2005 Patio Table Smashed
October 10, 2005 Southern Regional Police Visit Chief Fiorill responds and takes report - said
he would send assignment number for insurance.
October 11, 2005 AB Order
IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF
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PENNSYL.VANIA
IN THE MATTER OF: STANLEYJ. CATERBONE, Report to Harleysville A. Mazzuchi CIVIL
ACTION NO. 05-3689 BKY. NO.
October 13, 2005 Cingular 4 Customer Service Reps will provide an audit within 7 days.
October 14, 2005 Superior Court of CA call Ann, wanted to know what to do with docs about
Sammy. Never called back. Left 2 messages.
October 17, 2005 Harleysville Insurance Letter Still under investigation, reason for case not
closed when due.
October 18, 2005 Sovereign Bank would not open DIP Account. Kept giving me a hard
time.
October 19, 2005 Hugh Ward, Dept of Justice Do not need DIP account, and do not have to
submit anymore docs for first meeting. Instructions will follow.
October 20, 2005 forum post would not give me a private meeting. told 3 people in lobby.
<end>
October 22, 2005 East Lampeter Citations Docket No. CR-408-05 OTN- L260045-2 Hearing
Nov 17, 3:00pm
October 28, 2005 Meeting with Judge Mary McLaughlin met with her, and at least 4 staffers
<end>
November 01, 2005 - District Justice Savage Meeting
Requested a change of venue. DJ Williams? told me to go to County Court House to the
Court Administrator and get Change of Venue
November 01, 2005 Lancaster County Court Administrator Will change to another District
Justice. Cited the Affidavit and 1987 abuse in Giest Road during arrest by MT Police, Horton
and Reese.
November 04, 2005 called Hugh Ward about appointment Submittals before meeting.
Resend original submittals. 48 hour notice to reschedule. was not in, left message to call if we
needed to meet, told him by back was bad and not able to drive, reschedule for mon or tue.
November 05, 2005 Called Mastropietro and Dr Pool called for appt - both said to go to
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emergency room
November 06, 2005 Lancaster Regional Hospital Emergency Room too much pain. Went for
pain pills. Did not help
November 14, 2005 Lancaster County Criminal Prothonotary Office 2 documents were not
served including the notice for hearing and the notice regarding appeal decision. Clerks were
not very helpful, and kept giving excuses as to why I never received any notices. Always
quick to take my mone for the 2 copies.
November 17, 2005 656-2191District Judge Ron Savage Court Hearing
November 21, 2005 Creditors Meeting Courtroom 1
November 22, 2005 Joss Package per Feb 05

November 29, 2005 Chapter 11 fees Paid fee schedule. Clerk provide details for Dec 15
creditors meeting, along with mandatory requirements. Addendums and supplemental to
schedules for creditors.
November 30, 2005 Charlie Smithgall visited with Dee, she explained the proposal for the
Lancaster Press Building and we discussed the skyline debate and project.
December 01, 2005 Reading Court Hearing
December 02, 2005 East Lampeter Addendum for Hearing East Lampeter Citation Addendum
to notes:
1. After walking outside I tried to give my credit card to the officer to pay for my bar tab,
officer refused to take the credit card so I threw the credit card on the ground. I told
the officer that the

Charges withdrawn - May or may not be reissued by Judge Ruetter. What a crazy discussion
and hearing. Judge gave me the finger in the end while pointing to PA on a piece of paper. I'll
save the specifics and details for myself on this one.
December 06, 2005 eBay account hacked 23 Ipods listed from my store from Beijing China
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December

06,

2005

IFCC

FBI

I05120608348825

IFCC

internet

fraud

account

05120608348825
December 07, 2005 - Dr. Black request for records
December 08, 2005 - IFCC FBI I05120804514805 I05120804514805 You are about to submit
a complaint with the IFCC. Please review your information prior to submission.
December 12, 2005 - CD/DVD Writer Hacking tried to restore system configuration - did not
work tried to install new cd/dvd writer - did not work said to reinstall operating system and
reinstall all software was able to write to 3 cd on Iomega drive before it was hacked early am;
Comcast Cable again disconnected service and internet service.
December 14, 2005 Letter of Denial from the Pennsylvania Housing Finance Agency:
Pennsylvania

Homeowners' Emergency

Housing Finance Agency

Mortgage Assistance Loan Program


Pavements: 211 North Front Sheet, P.O. Box 15206
Harrisburg, PA 17105-5206
Correspondence: 211 North Front Street, P.O. Box
15530
Harrisburg, PA 171 05-5530
(717) 780-3940 1-800-342-2397 fax(717) 780-3995
ITY (717) 780-1869

STAN J CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA. 17516
S.S. #: 200-46-6095

Your application for a HOMEOWNERS' EMERGENCY MORTGAGE ASSISTANCE LOAN


has been DENIED pursuant to Act 91 of 1983,35 P.S. Section 1680,401-C et seq. and/o-r
Agency Guidelines 12 PA Code Sect~on3 1.201 et seq. for the following reasons:
1. No reasonable prospect of applicant resuming full mortgage payments within twentyfour (24) months and paying mortgage(s) by maturity based on: Applicant's income
has been insufficient to maintain mortgage for the past two (2) years. Total monthly
expenses: $3268. 2002 net monthly income: loss, 2003: 0,2004: extension.
2. No reasonable prospect of applicant resuming full mortgage payments within twentyAdvanced Media Group

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four (24) months and paying mortgage@) by maturity based on: Applicant is
financially overextended based upon income history.
3. Property securing mortgage is not a one-or-two family owner occupied residence
based on: The secured property is used primarily for commercial or business
purposes. Per applicant, ~ ~ 65% of secured property is used for business.
4. Applicant is not suffering financial hardship due to circumstances beyond applicant's
control based on: Applicant has asset(s) which could have been liquidated to cure
delinquency Per applicant, has stocks and/lor bonds in business valued at $4
million.
You may be entitled to an appeal hearing if you disagree with our decision. Requests for
a hearing must be made in writing and must be submitted to the Agency within 15 days
after the postmark date of this letter. Verbal requests are not acceptable. The hearing
may be conducted by telephone conference call therefore you must include your
telephone number. You also have a right to an in-person hearing at the Agency's office in
Harrisburg if you so desire. Requests for hearings must state the reason(s) that a hearing
is requested and must be sent first class, registered or certified mail to: Chief Counsel HEMAP Hearing Request, PHFAIHEMAP, 21 1 North Front Street, P.O. Box 15628,
Harrisburg, PA, 17105-5628.
The hearing request may also be faxed to the attention of Chief Counsel - Hearing Request at
717-780-4031. The Agency will attempt to schedule the hearing within thirty (30) days after
the request is received. When sending your appeal, please be sure to print or type your name
legibly and include your social security number and phone number where you may be
reached during the day. You have a right to be represented by an attorney in connection with
your appeal. If you cannot afford an attorney you may be eligible for Legal Services
representation. You can contact a Legal Services representative toll free at 1-800-322-7572
for a referral to the office for your county. Please be aware that scheduling an appeal hearing
does not necessarily stay foreclosure proceedings.
DISCLOSURE OF USE OF INFORMATION OBTAINED FROM OUTSIDE SOURCE:
1. Disclosure inapplicable. The Federal Equal Credit opportunity Act prohibits creditors
from discriminating against credit applicants on the basis of race, color, religion,
national origin, sex, marital status, age (provided that the applicant has the capacity
to enter into a binding contract); because all or part of the applicant's income derives
from any public assistance program; or because the applicant has in good faith
exercised any right under the Consumer Credit Protection Act. The Federal Agency
that administers compliance with this law concerning this creditor is the Federal Trade
Commission, Equal Credit Opportunity, Washington, D.C.

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Sincerely,
THE PENNSYLVANIA HOUSING FINANCE AGENCY
HPREJECT
Rev.
September 2003

December 15, 2005 - Meeting of Creditors Reading Courtroom 1 3rd Floor610-320-5255 341
Meeting with Mr. Ward of Department of Justice, No Creditors attended. Routine meeting to
clarify under oath schedules submitted. Said to submit all filings to Reading Courts and would
only hear from DOJ if anything additional is needed. Asked when...
December 17, 2005 - Judge McLaughlin Hearing Request
Stanley J. Caterbone (pro se)
220 Stone Hill Road
Conestoga, PA 17516
Honorable Judge Mary A. McLaughlin
December 28, 2005 - Cyber warehouse Restore System $50 to restore to factory settings $45
wireless pci card for old HP Laptop
December 31, 2005 - Depart for Los Cabos SouthWest Fl to Houston 7:20am charged me an
extra $25 for luggage that they ended up loosing later in the day in Houston.
January 01, 2006 - Continental Airlines Could not talk to anyone about problem finally at
about 8:30 talked to Continental at ticket counter, no flights, all booked until Wednesday. Put
me on standby for other flights that day, but said probably would not get on a flight. Kept
arguing about problem with several ticket agents, very
January 03, 2006 Finally got a flight out to Houston again, abuse and intimidation by
Continental employees, not happy about me getting a flight. Had to pay additional charge of
$100 for ticket.
January 05, 2006 - Letter to Editor Drew Anthon Civility, professional etiquette, and the
public discourse for the Lancaster Convention Center debate. Tonight at the meeting at Farm
and Home, I had approached Mr. Drew Anthon and politely asked him to discuss and settle
my civil complaint. This was th...
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January 05, 2006 - Complaint number: I06010506177009Password: luggage On January 30 I
had planned to visit Los Cabos, Mexico, for a business trip. I had used the Internet to locate
the airport (PTO) for that destination to locate and book the necessary travel
accommodations. PVR (Puerto Vallarta, Mexico) appeared on sev...
January 05, 2006 - Judge Mary McLaughlin, J Order to Serve Notice is received
IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF
PENNSYLVANIA
STANLEY J. CATERBONE v. LANCASTER COUNTY PRISON, ET EL NO. 05-2288 ORDER
CIVIL
ACTION
January 05, 2006 Federal Bureau of Investigation Internet Crime Unit Complaint number:
I06010506177009 FBI IFCC Complaint via letter
January 06, 2006 Complaint number: I06010506177009 USPS
January 06, 2006 Complaint number: I06010506177009 via USPS
January 09, 2006 Judge Twardowski Order of Creditors 610-320-5255 phone Ext 248 Kathy,
Twardowski Clerk Ext 243 Twardowski
January 12, 2006 Honda Inspection
January 12, 2006 Received Judge Mary McLaughlin Serve Order of Jan 5 2005
January 13, 2006 Lancaster County Redevelopment Authority Meeting with Randy Patterson Discussed Concerts, said Joe probably does not have any, was not interested in getting
involved, said not his responsibility, Barnstormers manage facility and their option. Said we
keep going around in circles.
January 13, 2006 - Stanley J. Caterbone (pro se)
220 Stone Hill Road
the Eastern District of Pennsylvania (010...
610-320-5255 phone
Ext 248 Kathy, Twardowski Clerk Ext 243 Twardowski
UNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF PENNSYLVANIA
In Re: Stanley J. Caterbone Debtor Case No: 05-23059-tmtChapter: 11
January 17, 2006 FBI Field Office in Harrisburg; Called about computer hacking and intruders
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January 18, 2006 PA Housing Finance Hearing 780-3937 780-4031fax
January 18, 2006 Notice of Service To Fed Civil Actions Mailed all complaints and Judge
Mclaughlin's Notice of Service Package, with the exception of Southern Regional Police
Department <end>
January 19, 2006 Joe Pinto Village Clair Bros Email Stan- Thanks for your help on this!! Joe
Delivery Confirmation Label Number: 0103 8555 7495 2644 2732 Judge Thomas M.
Twardowski, Unite...
Filed Drew Anthon Default Notice and it was stamped in the Prothonotary office at 3:00pm by
Audrey
January 20, 2006 Served Drew Anthon Default Notice Served Default Notice to Diane
McMahon, the Secretary in the Marketing Office of the Eden Resort Inn. She said Drew was
out of the office, so she gave the notice to Drew's Secretary while I was there. I went to have
1 drink at the Lounge Bar at the Eden...
January 20, 2006 Meeting with Joe Pinto & Slide at Snow Magic
January 21, 2006 Yarnell Security Sys Letter YARNELL SECURITY SYSTEMS
131 ELMWOOD RD . LANCASTER PA 17602.717-399-3900 January 20,2006
PA 175 18Dear Mr. Caterbone, We
Turns to a bitchy nagging wife. <end>
January 23, 2006 US Dept of Justice Hugh Ward letter U.S. Department of Justice Office of
the United States Trustee Eastern District of Pennsylvania 833 Chestnut Street(215)
597-4411 Suite 500 fax (215) 597-5795 Philadelphia, Pennsylvania 19107 IN THE COURT
OF COMMON PLEAS OF LANCASTER COUNTY, PENNSYLVANIA CIVLL ACTION - LAW
PROJECT HOPE/ADVANCED MEDIA GROUP 220 Stone Hill Road

DRREESWOR ATN RESORT INN AND CONF...


Richard S. Solove, Esquire McNEES WALLACE & NURICK LLC
180 Good Drive
Lancaster, PA 17603 (717) 291-1177 Attorney I.D. #I7717 Attorney for Defendants
PENNSYLVANIA CIVIL ACTIO...
Barley Snyder, LLC, Attorneys at Law
126 East King Street
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Lancaster, PA 17602-2893
28th Jan Auditorium Theater Chicago - On Sale Dec 10
Sale Dec 10 <end>
610-320-5255 phone Ext 248 Kathy, Twardowski Clerk Ext 243 Twardowski
UNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF PENNSYLVANIA
February 01, 2006 ANSWER TO FULTON BANK REQUEST FOR RELIEF FROM
AUTOMATIC STAY Local Bankruptcy Form 9014-3 UNITED STATES BANKRUPTCY
COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA
IN RE :
January 27, 2006 Claim filed with Harleysville Insurance Company regarding the Los Cabos
trip and all related Freud and deception.
On January 30 I had planned to visit Los Cabos, Mexico, for a business trip. I had used the
Internet to locate the airport (PTO) for that destination to locate and book the necessary travel
accommodations. PVR (Puerto Vallarta, Mexico) appeared on several Google searches as
that airport. I accordingly booked flight itinerary and tickets for that trip. On January 31 I
booked a flight from Houston Hobby airport to PVR (Continental Flight 1768, Seat 10D). I
had some knowledge of the PTO system, having the national register for PTOs when I had
my plane operating, the Piper Navajo Chieftain, in 1987. I had logged several flights, as far
away as Atlanta, and booked it for charter to several clients. PVR was not, in fact, the
airport for that destination. I had consumed an estimated $2,000 in expenses for that trip, and
never was able to travel to Los Cabos as planned. I was denied a car rental after landing in
PVR without any lodging accommodations. I had to spend 3 evenings in the PVR airport
because of no lodging accommodations. The only accommodation I could find was at a price
of $389.00 (Marriot Hotel) per night, well beyond my budget. I was not allowed fair access to
certain return flights to Houston Hobby
airport, and was in a constant state of intimidation by the agents at PVR that were under
the employ of Continental Airlines. Continental Airlines made no attempt to remedy any of
these problems, or make any attempt to accommodate my concerns or complaints.
Southwest Airlines conveniently lost my only piece of carryon luggage from Philadelphia to
Houston, on January 31 (Flight 1950/2646); which contained my only seasonal clothing, as
well as legal and business files of the Advanced Media Group, and related computer
hardware. I had to purchase shorts, t-shirts, and sandals, because of that mishap. Southwest
Airlines made no real attempt to transport the lost baggage to PVR, where I needed it, and
tried to use acts of intimidation during my filing of that claim in the Houston Hobby office of
Southwest Airlines. (Southwest Airlines Lost Baggage Claim Report number 1000777444). I
estimate that the lost monies for this mishap to be approximately $2,200. The airfare alone
was $1500. Car rental fees (Avis) were approximately $170. Clothing and other related
accessories were approximately $100.00. Food expenses were approximately $200. Upon
finally arriving back at the Philadelphia Airport, my battery had been tampered with, and my
final trip home was extended an additional 3 hours, this was after the delay of another 4 hours
by the Southwest flight from Orlando to Philadelphia. I had been randomly selected for
private searches by the Homeland Security agents upon every stop, and in Houston,
Texas, was accused by an inspection device (false positive reading) as carrying a plastic
explosive in my carry-on luggage, and was treated as such. In addition, a portable storage
device was also corrupted during this process, via the Internet. Spending New Years Eve in
the PVR airport, cold with only rigid, hard, and very uncomfortable seating, with no one
that understood English, all the while experiencing extreme back pain (currently under a
physicianscare and treatment) ---- priceless. Description of how you were defrauded: On
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January 30 I had planned to visit Los Cabos, Mexico, for a business trip. I had used the
Internet to locate the airport (PTO) for that destination to locate and book the necessary travel
accommodations. PVR (Puerto Vallarta, Mexico) appeared on several Google searches as
that airport. I accordingly booked flight itinerary and tickets for that trip. On January 31 I
booked a flight from Houston Hobby airport to PVR (Continental Flight 1768, Seat 10D). I
had some knowledge of the PTO system, having the national register for PTOs when I had
my plane operating, the Piper Navajo Chieftain, in 1987. I had logged several flights, as far
away as Atlanta, and booked it for charter to several clients. PVR was not, in fact, the
airport for that destination. I had consumed an estimated $2,000 in expenses for that trip, and
never was able to travel to Los Cabos as planned. I was denied a car rental after landing in
PVR without any lodging accommodations. I had to spend 3 evenings in the PVR airport
because of no lodging accommodations. The only accommodation I could find was at a price
of $389.00 (Marriot Hotel) per night, well beyond my budget. I was not allowed fair access to
certain return flights to Houston Hobby airport, and was in a constant state of intimidation by
the agents at PVR that were under the employ of Continental Airlines. Continental Airlines
made no attempt to remedy any of these problems, or make any attempt to accommodate my
concerns or complaints. Southwest Airlines conveniently lost my only piece of carryon
luggage contained my only seasonal clothing, as well as legal and business files of the
Advanced Media Group, and related computer hardware. I had to purchase shorts, t-shirts,
and sandals, because of that mishap. Southwest Airlines made no real attempt to transport
the lost baggage to PVR, where I needed it, and tried to use acts of intimidation during my
filing of that claim in the Houston Hobby office of Southwest Airlines. (Southwest Airlines Lost
Baggage Claim Report number 1000777444). I estimate that the lost monies for this mishap
to be approximately $2,200. The airfare alone was $1500. Car rental fees (Avis) were
approximately $170. Clothing and other related accessories were approximately $100.00.
Food expenses were approximately $200. upon finally arriving back at the Philadelphia
Airport, my battery had been tampered with, and my final trip home was extended an
additional 3 hours, this was after the delay of another 4 hours by the Southwest flight from
Orlando to Philadelphia. I had been randomly selected for private searches by the
Homeland Security agents upon every stop, and in Houston, Texas, was accused by an
inspection device (false positive reading) as carrying a plastic explosive in my carry-on
luggage, and was treated as such. In addition, a portable storage device was also corrupted
during this process, via the Internet. Spending New Years Eve in the PVR airport, cold with
only rigid, hard, and very uncomfortable seating, with no one that understood English, all the
while experiencing extreme back pain (currently under a physicians care and treatment) ---priceless.
February 02, 2006 -

Judge Twardowski Feb 2 Order UNITED STATES BANKRUPTCY

COURT EASTERN DISTRICT 01: PENNSYLVANIA In Re: Stanley J. Caterbone


February 03, 2006 - Lance formally and publicly breaks off engagement to Sheryl by going
public and releasing public statements.
February 03, 2006 - Rcvd LC KEGEL KELIN ALMY & GRlMM response to Fed Civil Action
Woke up and found Ipod and Ring Missing (wedding band on ring finger take off during the
night by someone). Ipod was crashed and charging in van.
February 05, 2006 - Conestoga Police Speeding Ticket
February 06, 2006 - Ipod Found.

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February 06, 2006 - Donegal Policy Due $159 PAE 3015468 faxed to 426-7031 <end>
February 06, 2006 Manheim Township Police Order to Dismiss Federal cv05-0288 to Judge
McLaughlin
2005 to the Court requesting permission to amend his "comp This Court by Order dated
January 5,2006, directed Plaintiff to serve his summons and
February 10, 2006 - Drew Anthon Motion Due 180 Good Drive Lancaster, PA 17603 (717)
291-1177 Attorney I.D. #I7717 Attorney for Defendants PLEAS OF LANCASTER COUNTY,
PENNSYLVANIA CIVIL ACTIO...Took back digital box for replacement, gave colored woman
bankruptcy papers for her superior, was again going to turn off cable.
February 10, 2006 Drew Anthon Notice of Items Feb. 10 2006 IN THE COURT OF COMMON
PLEAS LANCASTER COUNTY, PENNSYLVANIA CIVIL DIVISION
PROJECT HOPE ADVANCED MEDIA GROUP
220 Stone Hill Road
February 12, 2006 Joe Roda & Diane Nast email Feb. 12 2006 Dear Joe and Diane: These
are the documents I currently have filed in Federal courts. I just saw you were back to work,
so I thought I should share these with you. Please understand that the quotation of my
statement
Re: Do you know my cousin, Diane Nast?
To: <amgauctions@comcast.net>Date:...
Again went to Comcast after digital service was again shutt off. Again, another useless phone
call to customer service. Told them that Mable of the Legal dept processed bankruptcy order.
After about 20 minutes, said service was restored.
February 15, 2006 Letter to the PA Housing Finance Agency;
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
S.S. #: 200-46-6095
Chief Counsel - HEMAP Hearing Request,
PHFAIHEMAP,
21 1 North Front Street,
P.O. Box 15628,
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Harrisburg, PA, 17105-5628
Facsimile: 717-780-4031
February 16, 2006
Re: NOTICE OF DECISION OF HEARING EXAMINER
For the record, I did not provide the statements in the report as you have determined. I
protest the accuracy of the statements that were reported in the Decision, and formally
request a copy of the tape recording. I also have determined there are several inaccuracies
concerning the facts that were established. Given that you a Federally funded program, what
courts would have jurisdiction in any appeals that may follow?
February 21, 2006 Fulton Hearing in Reading 1. If you do not want the court to grant the
relief sought in the motion or if you want the court to consider your views on the motion, then
on or before February 8, 2006 you or your attorney must do & of the following:Judge
Twardowski Feb 2 Order
February 22, 2006 Visit Comcast to confirm appt.
February 22, 2006 - Lancaster County Commissioners Meeting Art Morris, and Planning
Commission. Walked out after hearing they awarded the consultants bid 1 week before RFP
was due.
February 22, 2006 Suburban Cable Appt Cable modem turned on before Comcast tech even
entered my office, how could that happen? Blue light on Vonage modem was lit for first time
since Friday, the week before.
February 23, 2006 Letter from Lynn Stoy of the PA Housing Agency denying my request for
a transcript of the Hearing in January.
February 24, 2006 Received Leo Eckert summons from Conestoga Police
COUNTY OF:
March 01, 2006 Lancaster County Commissioners Meeting
March 01, 2006 Lancaster County District Attorney Office Drop off letter to Donald Attorney
<end>
March 01, 2006 Lancaster Chamber of Commerce Request 2006 fee schedule for Project
Hope and Advanced Media Group. See Sharon Roda, who works for the Economic
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Development and David Nikollof. Did not know she worked there and asked
to visit with her.
March 01, 2006 Visit Joe Pinto at Clipper Stadium Stopped by to see Joe about the concert
schedule for the summer. Joe was busy.
March 02, 2006 Phone call from Attorney JoLynn Stoy of PHFA Another argument about
getting the recording of my Appeal Hearing on Jan 18th in Harrisburg. She again tried to lie
her way out of the fact that they fabricated my statement in their finding. Hung up
on her. <end>
March 02, 2006 Mail Certified letter to JoLynn Stoy
March 04, 2006 Interrogation
March 05, 2006 NSA
March 07, 2006 Hypnosis Seminar Talk to someone and they said smoking would be over at
8pm and the diet would start at 8pm and end at 10. $59. fee to attend. The went to
Dispensing com and had 2 beers, then to Alley Kat had 3 drinks and 3 cokes until 1:15am,
then went home. Went back ...March 08, 2006
Desk Sergeant and tall shorthaired officer carrying black gym bag were at front desk. Laid my
business card on desk and asked if "they knew what chlorphorme was, and that I heard
rumors around town that someone was using that stuff, and they should clean...
March 21, 2006 Someone just shot at me At approx 6:30 am this morning I was out by the
side of my house in the woods tying up a tree and someone from the adjacent valley shot one
shot which sounded like it was it could have been at me. There were no hunters in the area
that I could see. Their...
March 21, 2006 EXCELSIOR PLACE INVESTOR Excelsior to get new investor Partner to be
revealed today for E. King project BY PAULA HOLZMAN, Intelligencer Journal Staff Today's
city Redevelopment Authority meeting could break the deadlock on plans to renovate several
March 22, 2006 Facsimile to Lin Patch, Appeals Officer of the Pennsylvania Housing
Finance Agency
Fax Cover Sheet
To:

Lin Patch, Appeals Officer


Hemap Appeals Unit

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Company:

Pennsylvania Housing Finance Agency

Fax Number:
From:

Stan Caterbone

Date:

March 22, 2006 2:58pm

Re:

Appeal to Commonwealth Courts

I have received the tape recording of my appeal hearing on March 15, 2006, and upon further
review, the following statement was not found on the recording of my hearing: The applicant
provided the following statement with respect to the cause of the mortgage delinquency:
"These circumstances came about when I met with officials from International Signal &
Control, plc., in 1987 and became involved with agencies providing the United States of
America associated with the highest level of Intelligence and National Security. I was called
upon by ISC to help to provide financial assistance for portions of their [sic] operations. I
immediately became suspect of these circumstances following my meeting of June 23, 1987;
and alerted various officials of local, state, and federal authorities. It was these allegations
that resulted in a 'Billion Dollar Fraud' that was successfully prosecuted by the United State
Attorney General and the Federal Bureau [sic] of Investigation in 1990. Thiese circumstances
have been before now, a dire problem within the scope and bounds of our National Security.
These circumstances are now able to be adjucated within the Court of Law under the
provisions and doctrines of the Constitution of the United States of America. During these
activities, certain agencies of the intelligence community began extracting information on
present and future issues concerning the current state of affairs of the United States of
America." I also have learned that Mr. Cooper in the hearing stated that an appeal to the
Commonwealth Courts time expired after 30 days, or 6 days after you provided me with the
recorded
transcript, which I initially requested on or about February 10, 2006. Was it your intention to
delay the delivery of the tape recording so that the time for filing my appeal would have
expired?
March 25, 2006 Key to Honda Stolen Mom's House and Billy Plank Found beer can in back
yard, and newspapers in kitchen. Noticed people may have been inside house. While there,
white small car pulled up in back beside Billy Planks truck, got out and crawled under truck.
Was a clue about the key under my van that was...
March 25, 2006 Went home to get key for Safety Deposit Box March 25, 2006 Hypnotized
(Key) Fulton Bank Safety Deposit Box Hypnotized with the Key Trick, Alarm went off on car,
don't know how, younger woman beside my car, lipstick. Lost key to ignition, got out of car,
stood beside car, went back into car and key was gone. Went to get key under car, and it was
gone. Wanted...
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March 25, 2006 Hypnotized (Key) Fulton Bank Safety Deposit Box Hypnotized with the Key
Trick, Alarm went off on car, don't know how, younger woman beside my car, lipstick. Lost
key to ignition, got out of car, stood beside car, went back into car and key was gone. Went to
get key under car, and it was gone. Wanted...
March 25, 2006 Gib Armstrong Office
Pick up Right to Know and Freedom of Information Act documents.
March 28, 2006 Received Judge Fehling Order for Hearing UNITED STATES BANKRUPTCY
COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA
April 02, 2006 Someone Enters 220 Stone Hill Road Ran out of house after someone hiding
in basement
April 02, 2006 Registration Stolen from Dodge Pickup
April 03, 2006 Person breaks into 220 Stone Hill Road Leave driveway and with pickup go to
Wagon Wheel for coffee and newspaper, group of Men laughing at me. I ask them if anyone
of them was in my house, stay out of house until 1:30pm.
April 03, 2006 Chorophormed released in Car
April 04, 2006 Southern Regional Police Keep Pounding At Door Said they just wanted to
talk, Fedor and Chief Fiorell Security took picture. Said I was sick and wanted to help me.
April 04, 2006 Phil Called From Austin Texas Said Lance was out of town this week.
April 04, 2006 Fax Southern Regional Police Suit to Don Totaro, Lancaster County District
Attorney COMMONWEALTH OF PENNSYLVANIA COURT OF COMMON PLEAS
LANCASTER COUNTY CIVIL DIVISION Stanley J. Caterbone County of Lancaster,
Pennsylvania :
April 05, 2006 Officer Buser/Lancaster General Hospital/Millersville Police/East Lampeter
April 07, 2006 Conestoga Speeding Tickets & Inspection Hearing This court has received
your plea of NOT GUILTY to the above summary violation(s). The sum of $ 112.50 has been
accepted as collateral for your appearance at trial. Your trial has been scheduled as follows:
PLEASE TAKE NOTE WHERE BEARING WILL
Advanced Media Group

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Wednesday
April 08, 2006 - . Hospital Missing Mail Civil Action Complaint given to Staff to mail at 1:00am
missing, rest of mail shown to me and was never mailed.
April 10, 2006 Dr. Pressley 2nd Opinion Dr. Bill Met with Dr. Bill, would not answer question
regarding verifying 302 Order.
April 11, 2006 Judge Anita Brody Appeal to Fulton Bank Stay Entered
April 11, 2006 Judge McLaughlin Order for Continuance to May 11 IN THE UNITED STATES
DISTRICT COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA Stanley J.
Caterbone CIVIL ACTION
April 12, 2006 Sent Transcript to Judicial Conduct Review Board COMMONWEALTH OF
PENNSYLVANIA

JUDICIAL

CONDUCT

BOARD

PENNSYLVANIPAL

PLACE

301

CHESTNUT STREET SUITE 403.


April 13, 2006 17101 717-234- 7911March 27,2006Stanley Caterbone220 ...
April 14, 2006 34 Foot Admiral Holiday Rambler Test Drove 30 foot <end>
April 14, 2006 The Sharks Live Walked in and wanted to pay for ticket, said wanted to see
Gus and walked into Village. Dave and Heather, Ken Ray & Carol, Den Lilly, Kratzert,
Suzanne Porter, Brett, Fred, Billy T. Joe Klaus,
April 16, 2006 George at Village Would not let me back in. Said about ticket, and he would
not let me pay him for the ticket.
April 17, 2006 Cable Disconnected Paid Comcast at Office All Cable disconnected at
telephone pole. Sov Bank Project Hope Check #129 Susan Gibson would not turn cable and
internet on. Said I had to pay $990.42 <end>
April 18, 2006 Comcast Suit Fax to Anita Brody Re: Civil Action 05-2288 The 5 page fax you
sent through eFax.com to 12155802356 was successfully transmitted at 2006-04-19 00:28:29
(GMT). receiving machine's fax ID: .____________...
April 18, 2006 Millersville Boro Police Report 872-4657 Patrolman Michael K. Schaeffer, who
took report on gave me incident no. 2006-MU-00509 Phone 717-872-4657 Fax 717-872-4705
10 Colonial Avenue
COMMONWEALTH OF PENNSYLVANIA COURT OF COMMON PLEAS LANCASTER
COUNTY CIVIL DIVISION Stanley J. Caterbone Applied for Food Stamps
Advanced Media Group

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Wednesday
April 18, 2006 Pham Computers
Said could not order Avaratec Power cord, said it might be internal power supply.
April 18, 2006 Priority Mail Wcrow & Daile High Priority mail transaction No. 72 USPS
414408-9550 Advanced Media Group 220 Stone Hill Road Email April 17, 2006Mr. Dale High
High IndustriesFrom : Advanced Media Group <amgroup01@msn.com>
Sent : Wednesday, April 19, 2006 4:58 AM To : <comments@whitehouse.gov>
See Federal Civil Action No. 05-2288... Walked in to get a copy of Littering Citation, (Rick)
Desk Officer began yelling at me and told me that I was driving while drinking, even though
my car was parked. Officer asked for my key after he followed me out to my car, gave me a
parking ticket fo...
April 22, 2006 Drove to get a paper. Took a shower at Mom's house to go back to Lancaster
City Police Station for my Key and license.
April 22, 2006 Lancaster City Police Station Went in to get license and key and Desk Officer
(woman) kept yelling at me and gave my key back and said I would have to come back
tonight to get my license back. Told me to get out of station and never to come back again!
April 22, 2006 Lancaster County Library Update calendar and email. Tried to lock me out of
system.
April 24, 2006 LiHeap Application No More walking, told to come back tomorrow Lois Gascho
on vacation out all week.
April 25, 2006 LiHeap Application $600 from LiHeap, Bankruptcy papers faxed to PP&L;
Docket Judge Anita Brody Order of Oct 5 PP&L to turn on Electric on Wed am
April 25, 2006 Reading Court Hearing Parking Meter
April 25, 2006 Lancaster County Library Got MSN Alert for Reading Parking Ticket Hearing,
called District Justice in Reading
April 25, 2006 FBI Internet Crime Unit Reported calendar hacked and alert for Reading
Parking Ticket and Alert changed.
April 26, 2006 Judge Anita Brody Appeal Due
April 26, 2006 Lancaster County Assistance Food Stamps Said denied last year because of
Advanced Media Group

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Wednesday
resources (5,000 in bank, credit card liability) Said denied last year because failed to show to
interview. Would not tell me how long to get food stamps
April 27, 2006 District Justice Ballentine Caterbone v. Comcast
April 28, 2006 Amended LGH & Southern Regional Police Department COMMONWEALTH
OF PENNSYLVANIA COURT OF COMMON PLEAS COUNTY OF LANCASTER CIVIL
DIVISION Stanley J. Caterbone COMMONWEALTH OF PENNSYLVANIA COURT OF
COMMON PLEAS COUNTY OF LANCASTER CIVIL DIVISION Stanley J. Caterbone to
Lancaster General Hospital CIVIL COMPLAINT CI-06-03349 Emily at information desk,
called to corporate, would not give me directions to department, served 2 copies to LGH and
Dr. Pressley
April 28, 2006 Service to William Campbell of Southern Regional Police Left copy inside
door. See pictures.
April 28, 2006 Barnstormers Opening Game
April 29, 2006 Tommy's Anniversary Planted our garden.
May 01, 2006 Totaro's Office, Lancaster County DA Office Requested meeting, told to write
letter. Obstruction of Justice Southern Regional Police Shellenberger
May 01, 2006 Lancaster County Commissioners Office Copy of Letter to Henderson, tried to
make appointment, staff said will not see me for meeting.
May 02, 2006 Millersville Boro Police Incident Report Now, said cannot have incident report.
April 21, 2006
Advanced Media Group Stanley J. Caterbone
220 Stone Hill Road Conestoga, PA 17516Millersville Borough Police Department Michael
K...
May 02, 2006 Lance Look alike peddling on near Penn Manor Middle School
May 02, 2006 Danny Hershey Talked to Danny for awhile; Gun Shop; told me about DA
Detective M. Landis being a "problem and a lunatic", kept telling me about him, said he lived
near Dave on Slackwater Road, asked if I was having a problem with Dave, and said he was
a problem, aske...
Advanced Media Group

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Wednesday
May 03, 2006 Talked to Chief Rochet via phone of Millersville Boro Police requested incident
Re... Told me to call Sue Moyer of the Lancaster County DA office, would not give incident
report FAX COVER SHEET TO COMPANY FAX NUMBER FROM DATE RE COVER
MESSAGE +1-7172953693 Stan Caterbone Ma5y/ 0033/,0 260 90:628 DATE RE COVER
MESSAGE +1-7172934470 Stan I think it is the judicial branch of government, not the
executive; but thanks for the information anyway. I will handle the problem we discussed
today in another manner. As I stated, I will not put myself in harms way by going near Officer
Buser

of

So...

May

04,

2006

Civil

Complaint

Pam

Pflumm

AOPC

308A-05

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: Lancaster CIVIL COMPLAINT Magisterial District Number: Ma0y2 0-24-,0
AOPC 411A-05 1-2 COMMONWEALTH OF PENNSYLVANIA COUNTY OF:Lancaster
Magisterial District Number : FAX COVER SHEET TO COMPANY FAX NUMBER FROM
DATE RE COVER MESSAGE +1-5738889802 Stan Caterbone
5/04/06 4:03 AM could you please confirm the where...
2006 Business Law Seminar: Lancaster
May 08, 2006 Richard Plum phone call Harleysville Insurance Company Said he would
overnight new affidavit, argued about why no one alerted about deficiencies
May 10, 2006 Fulton Bank Commercial Loan Application Branch Manager refused to provide
application or any documentation
May 10, 2006 Fulton Bank Commercial Loan Application Bill Dougherty, Branch Manager on
1st floor; would not provide me with an application. Process was to provide financial
statements; kept requested documentation as to application and process, refused. Said did
not mail it, would go out today, again lied.
May 11, 2006 Went to U.S. Postal Station on Harrisburg Pike, Lancaster, man came up to
me Capt Palmer? Said he was Dick Shellenberger brother-in-law, wanted to talk to me, kept
backing me up while trying to weigh envelopes, told him to get away, I was busy, walked
outside and waited, told him I was busy and walked away.
May 15, 2006 Availability Staffing Went to talk to Tony Spinello, would not meet, met with
Amber.
May 16, 2006 Judge Brody Brief Due
May 17, 2006 FBI Harrisburg Office Obstruction of Justice Complaint Travel to Washington
DC
Advanced Media Group

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Wednesday
May 17, 2006 Help Make LIVESTRONG DAY One to Remember "It's time for our nation to
address our issues. Together, we can help change things for the better. As a team, we can
make a difference for survivors." -Lance Armstrong
Schedule appt.
May 17, 2006 Senate Select Committee on Intelligence 2 photographers take my picture
outside Hearings Gave phone number to call. FOXNews.com - Intel Panels Hear From NSA
Director - Politics Visit and request meeting with receptionist or another attorney
May 18, 2006 Availabity Staffing Follow up with Amber, said she had someone else in office
that could help find some part-time consulting. Talked with . Did not even read resume, told
him if he had a client that wanted to increase profits to call me. Said only dealt with
manufacturing,..
.
March 29, 2006, 4:05 PM ET Jonathan Cohen, N.Y. Taylor for the 2006 Rainforest B... Joe
Pinto Lied
As per the instructions of the receptionist in Senator Specter's office yesterday, I would like to
meet with the Senator regarding information that I have previously sent.
Please forward a date at your earliest convenience.
Thank You for your considerations.
Advanced Media Group
Stan Caterbone
mailto: amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Fax: (717) 427-1621
May 19, 2006 Dave Pflumm and Brett Stabley Thought they stole my wife
May 21, 2006 Harleysville Claim Priority Mail
May 22, 2006 Payments for Advanced Media Group Vonage Phone 17.48 Rhapsody .99 Go
to My PC 24.95 EBay 15.95 Andale 16.95 Efax 10.00 Nextel
155.00
May 22, 2006 Advance Media v. Mike, Stabley, Pflumm COMMONWEALTH OF
PENNSYLVANIA COURT OF COMMON PLEAS LANCASTER COUNTY CIVIL DIVISION
Advanced Media Group

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Wednesday
Advanced Media Group Stanley J. Caterbone Ma2y2 202 County of Lancaster, Pennsylvania:
Agent is not processing above claim and keeps lying to me. After I submitted claim forms and
did not hear from him, I called him and he said that a sworn and notarized affidavit required
embossed seal from notary, proved that was not the case. Then he s...
May 22, 2006 PA Insurance Complaint Agent is not processing above claim and keeps lying
to me. After I submitted claim forms and did not hear from him, I called him and he said that
a sworn and notarized affidavit required embossed seal from notary, proved that was not the
case. Then he s... Mike, I (Advanced Media Group) am suing you for libel, slander and
defamation of character. Just what is it you are trying to accomplish by slandering me with
this mental illness allegation?
You need to come clean with how my business with AIM back in 2001 was lost. I find it ironic
that as soon as I received my inheritance from Dad, Dave told me he knew that I went to a
different bank to deposit the funds, and shortly thereafter, you called me and said that your
regional sales manager received some complaints from some wholesalers about the updates
I was sending out to you and the other clients that I had with AIM.
You see Mike, since 1987, you all have been interfering with my business and my finances.
You take my money and my income, and when I try to resolve that through the courts, which
is precisely where matters of this kind are resolved, you go back and slander and libel me
with this mental illness allegation.
You have not seen me since February of 2005, and I have only spoken with you on a few
occasions, very briefly, and you never mentioned anything about me being mentally ill.
Now, you are going to have to answer in court what type of behavior you have witnessed that
leads you to the conclusion that I am having mental illness problems.
I am in the midst of litigating these and other past issues in the United States Court of the
Eastern District of Pennsylvania, Civil Action 05-2288 (which is sealed to the public), and you
are obstructing justice and interfering with my right to due process. Everyone that has libeled
me with these mental illness allegations will find that they will find a similar civil action filed
against them.
I only have a hundred dollars left, and Mom still owes me from the judgment that was
awarded to me in Lancaster County Court of Common Pleas last July. Legally, I cannot leave
Lancaster until all of my legal issues are properly adjucated through the courts, or I will face
bench warrants for my arrest.
Advanced Media Group

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Wednesday
So, I am asking you once again to overnight mail me the final payment of $800 and I will
satisfy the judgment against 1250 Fremont Street. You can ask Mom just how much she has
paid me so far. A few months ago she sent me a check for $200, and said she would send
me the rest of the payments.

Last week she said she would send me a check, and I still

have not received it.


Attached is the civil action that I am filing.
And you also need to stop interfering with my relationship with Sheryl, and you better stay
away from her.
----Original Message Follows---From: mtciidd@aol.com
To: amgroup01@msn.com
Subject: Re: The right thing?
Date: Sun, 21 May 2006 08:45:06 -0400
Stan you need to get help. You need to see a doctor and get back on your medication. I
know you dont see this but your not well and we want to help. If you see a doctor I will help
financially. Money is not going to solve your problems in your current condition. Your entire
solution to every this is through the courts and what happens when you exhausted all your
options and that what? Mom is getting very old and we dont know how much time she has so
please leave her alone and you can deal with me. I wish you could see what youre doing to
yourself but i guess you cant.

I know youre pissed off but we want to help.

What is

happening with your house? How far behind are you in your mortgage payments and dont
give me your bankruptcy info. Because donor or later your going to have to settle.
Just trying to help.
Mike
From: Stan Caterbone <amgroup01@msn.com>
To: mtciidd@aol.com
Sent: Fri, 19 May 2006 09:06:18 -0400
Subject: The right thing?

Just what did you mean.


and this is your brother Stan.
Advanced Media Group

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Wednesday
Advanced Media Group
Stan Caterbone
mailto: amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Fax: (717) 427-1621
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
May 23, 2006 Email Convention Center Recommendations from March 2005 1 of 2 5/24/2006
4:32 AM Sent : Tuesday, May 23, 2006 1:21 PM... Filed appeal and Forma Papaus to Appeal
Reading Traffic Tickets
May 23, 2006 Convention Over Budget Lancaster New Era Lancaster New Era: Center bids
$25M over budget http://eedition.lancasteronline.com/pages/news/edition/NEPM/200... 1 of 3
5/23/2006 8:19 PM
costs could be 30% higher than... CV-0000160-06 Comcast must send notice to defend,
otherwise do not attend. Tried to make me miss this hearing, original taken, I thought it was
for June 26, went today to get
May 26, 2006 Hearing Caterbone v. Comcast CV-0000160-06 Comcast must send notice to
defend, otherwise do not attend.
May 26, 2006 Barley Snyder, LLC - Lancaster General Hospital File Stolen Gave formal
notice to Attorneys Meagan Ford and Mattson regarding LGH file stolen, said allegations that
their client may have been involved, Caroline (African American woman) at reception desk.
Called to executive secretary of both attorneys, were not a...
May 26, 2006 Judge Mary J. McLaughlin Letter faxed Advanced Media Group 220 Stone Hill
Road Conestoga, PA 17516
May 26, 2006 Judicial Conduct States District Court for the Eastern District Please explain
your complaint on the reverse of this from. COMMONWEALTH OF PENNSYLVANIA
JUDICIAL CONDUCT BOARD Pennsylvania Place 301 Chestnut Street, Suite 403 OFFICIAL
USE
May 29, 2006 Judicial Conduct Review Board Complaint filed Please explain your complaint
on the reverse of this from. COMMONWEALTH OF PENNSYLVANIA JUDICIAL CONDUCT
BOARD Pennsylvania Place 301 Chestnut Street, Suite 403 Harrisburg, PA
Advanced Media Group

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Wednesday
.
May 29, 2006 Grassel Answer to Civil Complaint Due
May 30, 2006 Southern Regional Police Dept Answer Due
May 30, 2006 Kenny Chesney -- Opening for Chesney will be Sugarland and Jake Owen
May 31, 2006 Artie email for Convention Center March 2005 Artie, thanks for the intelligent
reply and discussion. You should understand, there is not too much that you have said that I
disagree with. You are right on point in your analysis. However, too understand my
perception, you must understand my experience...
May 31, 2006 - Robert Walker email Advanced Media Group From: Advanced Media Group
[amgroup01@msn.com] Sent: Wednesday, May 31, 2006 3:48 AM
amgroup01@msn.com Printed: Wednesday, May 31, 2006 9:49 AM
May 31, 2006 Omnis Networks illegally cancels the account for hosting the website
www.amgglobalentertainmentgroup.com without a courtesy call to pay the outstanding invoice
as promised on a telephone conversation with the agent named Eddie the previous week.
June 1, 2006 Response from the Lancaster Newspapers regarding cancellation of editions;
Mr Caterbones am responding to your inquiry concerning your edition. The account has
been stopped. When it was started, we were provided with a credit/debit card to pay for the
access on a monthly basis. Starting 4/26, when we tried to process a monthly charge, it was
declined. It had been tried for with weeks of 5/3, 5/10, 5/17 & 5/24 with no success. Access
was suspended on 5/26 with an amount due of $ 3.88. We received your payment of $ 3.88,
which paid your account to date. If you wish to have access to the edition again, we would
need to have a credit or debit card to use for the monthly access charge. If I can assist you
further, please contact me at 291-8627 or sign up on our website.
Shirley
Circulation Customer Service
Lancaster Newspapers, Inc.
_____
From : May 31, 2006 9:41 AM... John Wert Assistant to Judge Scheaffer 610-478-6675
610-478-, file again to reconsider?" shoul... COMMONWEALTH OF PENNSYLVANIA
COURT

OF

COMMON

PLEAS

LANCASTER

COUNTY

CRIMINIAL

DIVISION

Commonwealth of Pennsylvania :
Advanced Media Group

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June 06, 2006 - Letter from the PA Department of Welfare
DEPARTMENT OF PUBLIC WELFARE
LANCASTER COUNTY ASSISTMCE OFFICE
832 Manor Street
P.0. Box 4967 I
Lancaster, Pennsylvania 17604-4967
June 7,2006

Mr. Stan J. Caterbone,


Per Administrative Law Judge Scott Staller's stipulation, the following information is due
before 6120106 in the Lanmter County Assistance Office:
Verification of your income or lack them35 to show how you have been
supporting yourself since 2003 without income. This would include the
bankruptcy verification, loans against your credit cards, etc.
A copy of a photo identification.
Current bank statements or verification the accounts are closed.
Utility bills
Mortgage payments in the form of a mortgage book or receipts showing your
monthly payment.
The PA 600 application form you took with you at your last interview.
If you have any questions or concerns, please contact Mrs. Rychalsky, Income
Maintenance Casework Supervisor, at the Lancaster County Assistance Office at (717:)
299-7487. Mrs. Rychalsky will be banding any further issues regarding this appeal.
Thank you.
Amy Montgomery
Income Maintenance Casework Supwvisor
Lancaster County Assistance Office

June 06, 2006


Advanced Media Group

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Wednesday

Tim,
I had a problem at your Sunoco Gas Station on Orange and Prince street at about 2:30 am
today. I went to get some gasoline and my tank was low when I left my house, but the low
fuel indicator light did not come on.
I paid the cashier with 14 silver half dollars and got a pack of Eagle Lights and the rest $3.93
in gasoline, or about 1.37 gallons, and pumped the gas into my Honda.
Now, on the way home, at about half way my low fuel indicator light came on. I know that I
live about 7 miles from the Sunoco, and my 2005 Honda Odyssey gets at least 20 mpg city.
So, apparently, your Sunoco Station took my $3.93 and never gave me any gas, the meter on
the pump moved and shut off at $3.93, but I am alleging that I never put one drop of gasoline
in my Honda, yet the pump made it look like I was pumping gas into my Honda.
I have the receipt.
June 09, 2006 - Hearing for Conestoga Speeding Ticket TR-0000245-06 TR-0000244-06
As per your request, enclosed is a document that describes the last time I had a traffic
citation in Conestoga Township. As I have stated for the record, every time I seek due
process that the constitution of the United States affords me, this is what happens. I have 8
(fabrications and lies) or so similar hearing in Lancaster County, I requested a continuance
because of the demands of my Federal litigation and the conspiratorial approach to obstruct
justice and subvert my Federal civil actions has me without the proper time to prepare a
sufficient defense. I had wished to include the in court testimony, but time was lacking to
prepare. I was up since 2:00 am the previous morning working on a brief that was due the
Honorable Anita Brody of the United States District Court for the Eastern District of
Pennsylvania on the same day as your Court Hearing.
Every District Justice in Lancaster County denied me a motion for continuance to grant me
sufficient time to prepare for the Hearings this month. You stated for the record that you
could not because of a Court Order to hear this case within a 90 day time period. I was also
denied an Informa Pauperis (I am indigent due to circumstances beyond my control) from
every Business Judge on duty, which also conveniently denied me my right to have a Court
Stenographer transcribe your Hearing, as mandated in the Rules of Civil Procedure of
Pennsylvania. May I subpoena your Surveillance Camera for a transcription of my Hearing?
You will not get away with your small town politics, discriminatory and prejudicial antics used
Advanced Media Group

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June 28, 2006 Continued


Wednesday
to intimidate me and divert my attention, time and resources from my Federal Civil Actions.
I remind you that you are an Officer of the Court and will be held accountable to the law.

June 09, 2006 Hearing for PENNSYLVANIA DEPARTMENT 717-786-2072 fax


Thank you for your response Mr. Caterbone. I would again explain to you that you should
contact E-fax directly at the phone number I gave you in my initial email to discuss what you
believe to be a double charge. It is YOUR responsibility to discuss the charges with E-fax as
you gave them the Visa gift card number. The bank cannot be responsible for YOUR
decisions in regards to which you give YOUR card number. Good luck with YOUR inquiry
with E-fax. If E-fax decides you were double billed, then E-fax will refund your card. Again,
call E-fax and use the reference number that I gave you in regards to YOUR account. At this
point, Fulton bank will not be refunding any funds to you. Have a good day Sir.
-----Original Message----From: Advanced Media Group [mailto:amgroup01@msn.com]
Sent: Thursday, June 08, 2006 6:55 PM
To: Mummert, Carl
Cc: amgauctions@comcast.net
Subject: RE: Fraud Inquiry by you on Visa Gift Card
Fulton Bank owes me $45.98.

Sir, you are blind, there are (2) $26.90 charges on my Gift card Transaction
details. And both were used to compute the balance of $-.81.
I did not authorize the $10.00 Efax charge.
The $10.08 from Turkey Hill is erroneous; I did not purchase 10.08 of
gasoline on June 5th or 4th.
Now Sir, I have a brief due in the chambers of U.S. District Court of the
Eastern District of Pennsylvania's Honorable Anita Brody, Caterbone v.
Fulton Bank, tomorrow.
You, Sir, are harassing me with your lies, and you are obstructing justice and
my due process by harassing me with your phone call right when I began to
formulate my brief.
Date

Description

6/3/2006
Advanced Media Group

Amount

Pending - J2 *EFAX PLUS SERV 323-817-3205 CAUS


482

9/25/2006 10:14 AM

June 28, 2006 Continued


Wednesday
-25.9
6/7/2006

EMPIRE

BEAUTY

LANCASTER PAUS
6/7/2006

SCHOOL

#11

EMPIRE

BEAUTY

SCHO

-8

TURKEY HILL #0251 Q69 TURKEY HILL #0251 LANCASTER PAUS


-5

6/7/2006

TURKEY HILL #0251 Q69 TURKEY HILL #0251 LANCASTER PAUS


-0.5

6/6/2006

THE UPS STORE #3413 THE UPS STORE #341 LANCASTER

PAUS
6/6/2006

-5.94
FUNKS FARM MARKET N GARDE FUNKS FARM MARKET

MILLERSVILLE PAUS -5.05


6/6/2006

ATM Balance Inquiry Fee


-1

6/6/2006

MILLERSVILLE MART MILLERSVILLE PAUS


-5.39

6/6/2006

J2 *EFAX PLUS SERVICE J2 *EFAX PLUS SERV 323-817-3205

CAUS
6/6/2006

-10
TENNISTRAINER

760-9171841 CAUS
6/5/2006

EQUIP

STORE

TENNISTRAINER

EQUI

-16.18

ATM Balance Inquiry Fee


-1

6/5/2006

TURKEY HILL #0076 Q69 TURKEY HILL #0076 LANCASTER PAUS


-10.08

6/5/2006

VONAGE *PRICE+TAXES VONAGE *PRICE+TAXE 866-243-4357

NJUS

-17.48

6/4/2006

DOLLAR GENERAL 1805 COLUMBIA AVE LANCASTER PAUS


-3.64

Advanced Media Group

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9/25/2006 10:14 AM

June 28, 2006 Continued


Wednesday
6/4/2006

ATM Balance Inquiry Fee

-1
6/4/2006

J2 *EFAX PLUS SERVICE J2 *EFAX PLUS SERV 323-817-3205

CAUS

-25.9

6/4/2006

TURKEY HILL #0246 Q69 TURKEY HILL #0246 LANCASTER PAUS


-10

6/2/2006

ATM Withdrawal Fee


-2

6/2/2006

PNC NE 1503 COLUMBIA AVE LANCASTER 1PAUS


-21.75

6/2/2006

Funds Transfer from Fulton Financial Corp


175

Balance of all Transactions


-175.81
Balance of Fraudulent Transactions

$45.98

From: Mummert, Carl [mailto:CMummert@fultonbank.com]


Sent: Thursday, June 08, 2006 6:26 PM
To: amgroup01@msn.com
Subject: Fraud Inquiry by you on Visa Gift Card
Mr. Caterbone,
I just tried to call you to talk to you in regards to your request for
information on possible fraud in relation to your Visa Gift card you purchased
last week. As you thought it best to hang up on me as I tried to explain what I
found out by calling E-fax to research your gift card, I will now explain in brief
detail what the fees were you inquired about. The $10.00 fee on June 6th is
a pre-paid amount E-fax charges to allow you to fax pages @ .10 per
page. When you use the $10.00, E-fax will then pre-pay/charge another
$10.00. As for your inquiry of being double billed the $25.90. I spoke with a
Advanced Media Group

gentleman named Vincent


double 10:14 AM
484 @ E-Fax and he stated that there is not a9/25/2006

June 28, 2006 Continued


Wednesday
charge and that you were only billed $25.90 one time for 2 months service
(May 2nd to June 1st and June 2 to July 3rd). The monthly charge is $12.95
and since the card # you provided E-fax in May was denied, they billed you
for 2 months in the beginning of June. The Reference # for this information
is 001428472. If you have any further questions in regards to YOUR E-fax
account, I would ask you call E-fax yourself. The # for E-fax is (323)
817-3206. At this time I do not have any information for you in regards to
your inquiry at the $10.08 charged on June 6th.
Mr. Caterbone, since you again feel the best way to handle this situation
is to hang up on me when I was trying to give you this information, I would
request that you discontinue contacting myself. I do not have the time to
continue to try and help you when you are unwilling to listen to the
information I have to pass onto you. This is the second time in 3 days that
you disrespected me, with the 1st being on Tuesday, June 6th when you
called me ignorant and I would respectfully request that you no longer ask for
help from me. I have tried to be polite and respect you and I would hope you
could do the same. When Fulton bank completes its research as to what the
$10.08 charge was that you are disputing, the bank will contact you by email
or letter.
Thank you for your attention to this email and I hope the information I
passed onto you so far is useful.
Respectfully,

Carl E Mummert
Branch Manager
Penn Square Branch
Fulton Bank
(717)291-2451(Phone)
(717)295-4792(Fax)
cmummert@fultonbank.com

June 11, 2006 Country Music Awards CMA Music Fest Sets Initial Lineup
February 13, 2006, 4:30 PM ET
Katie Hasty, N.Y. Brooks & Dunn, Brad Paisley, Carrie Underwood and Montgomery Gentry
are
Music Festival. Slated for June 8-11 in down...
MDT citation for leaving car unattended to go look for Sheryl in Terminal. Left car and talked
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to
Security Officer and he said it was ok and ordered me to move car, and I did. He did not write
me a
citation on that day.
June 15, 2006 Hearing DJ Ballentine Caterbone v. Comcast
From : Cheryl

L.

Kovaly

<ckovaly@laverylaw.com>

Sent : Wednesday, June 21, 2006 1:13 PMTo : "Stan Caterbone" <amgroup01@msn.com>
Subject : RE: Caterbone v. Southern Regional Police Commission
Cheryl L. Kovaly, Esquire
Lavery, Faherty, Young & Patterson, P.C.
225 Market Street, Suite 304
Harrisburg, PA 17101
ckovaly@laverylaw.com
(717) 233-6633
June 19, 2006
H. Gus Dorn
Commonwealth Of Pennsylvania
Office Of Attorney General
Bureau Of Consumer Protection
Harrisburg Regional Office
301 Chestnut Street, Suite 105
Harrisburg, PA 17101
(7171 787-7109
May 31, 2006
Re: A-002594-2006
As per our conversation, I will address the issues contained in Mr. Yarnells response to your
office. Please not that I was not given any of the exhibits that Mr. Yarnell submitted to your
office.
On August 26,2005 we entered into an agreement with Mr. Caterbone for the installation and
monitoring of an alarm system at 220 Stone Hill Road Conestoga, PA 17518. Our standard
pricing for the system he ordered is $1,899.00 and then he would pay $192.00 per year for
the monitoring of the system. Another option he was given was to pay $1,324.00 for the
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installation and then pay $299.40 per year for 5 years. Mr. Caterbone chose the 2nd option.
(Attached marked items A and B are the contracts and the service rider).
Above paragraph is not contested.
Mr. Caterbone gave us a check in the amount of $800.00 for the system deposit so that we
could start the job. (Item C) The installation was scheduled for September 30, 2005. Our
technician arrived at the site and installed the system. Mr. Caterbone agreed that the system
was installed to his satisfaction and also added 2 additional key fobs. (See installers check
list, Item D).
Please see Exhibit E: Email of October 1, 2005 of Installation Problems
This check list goes on every job for the end user to sign. Please note the highlighted item.
Please find attached a copy of Mr. Caterbones final invoice in the amount of $1,021.40. This
was to be paid to our installer. He told our technician that he would send it in. (Item E) can
see we performed all of our duties as we agreed.
Please see Exhibit A: Bankruptcy Chapter 11 Petition, Yarnell Securities is on the matrix of
Creditors.
Please see Exhibit B: Bankruptcy Chapte11 Appeal Judge Anita Brody Appeal Response.
Please see Exhibit C: Bankruptcy Chapter 11 Definition and Regulations.
We clearly state on our contracts that the customer provides the phone lines.

(Item A

paragraphs 7 and 8) We also offer alternate methods of communication for all of our
systems. (Cellular Back Up) (Internet Monitoring). These were refused. See Item B
highlighted item.
Please refer to Exhibit D: Verizon Duplicate Bill for phone number 717-872-6984 which was a
dedicated land line for the security system.
Attached is a printout showing that the system was tested and working properly.

Our

contracts clearly state providing a phone line is the responsibility of Mr. Caterbone. Mr.
Caterbones system was completed September 30, 2005 and as of this date we still have not
been paid the balance of his monies due.
Above paragraph is not contested.
Mr. Caterbone has the system. We provided the complete installation in a timely fashion. Mr.
Caterbone has been called numerous times to collect the balance due. We provided more
than 8 hours of labor at Mr. Caterbone residence, as well the equipment with a normal selling
price of over $1800.00 plus the extra he received. Your help would be greatly appreciated.
Please see Exhibit A: Bankruptcy Chapter 11 Petition, Yarnell Securities is on the matrix of
Creditors.
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Please see Exhibit B: Bankruptcy Chapte11 Appeal Judge Anita Brody Appeal Response.
Please see Exhibit C: Bankruptcy Chapter 11 Definition and Regulations.
In paragraph 8. of the Residential Sales/Service Agreement it states: there will be no
monitoring..if the telephone line is interrupted unless the customer elects to pay for
additional technology that will report such an interruption.
Upon the execution and installation of agreement, I was told that a dedicated telephone line
was required so that any interruption with phone service would be detected. Why would you
pay for a Security System with alarms and a monitoring system that contained all of the
technological advances if it was vulnerable to someone snipping your phone line outside of
your house, and negating that Security System as moot?
I wonder if all of the customers for Yarnell Security Systems are aware of this vulnerability.
In addition, I was billed for monitoring my security system up to April 3, when in fact my
dedicated phone line with Verizon was terminated on or before December 24, 2005.
And you told me on the telephone in our conversation that this is not fraud?
You see, I have issues with Office of the Attorney General that date back to 1987 that I am
trying to resolve in Federal Court, and must assume that you are retaliating against me for my
filing of certain Federal Civil Actions, which are now currently being litigated in the United
States District Court for the Eastern District of Pennsylvania.
I do not appreciate your tone, nor do I appreciate your accusations or demands. I agreed to
provide the commitment documents to you as a courtesy. As stated, the 302 document was
not in the paperwork received from the Chief. Although additional documents are expected
from my client, I have no obligation at this stage of litigation to provide any documents to you.
Given your attitude, I am not inclined to extend you any additional courtesies.
June 20, 2006 Hearing East Lampeter Prelim Hearing Docket No. CF-0000169-06 02-3-02
MDJ Commins - On June 19, found that someone hacked my computer and removed my
scheduled appointment for the Hearing with District Justice Commins the following day on
June 20th. The appointment schedule was apparently removed soon after I entered it. I
always look forward to calendar schedule, and would have naturally been preparing days
before Hearing. Then went to file and found that someone removed important documents
required for Hearing, from my office. I immediately called Honorable Justice Commins at
2:25 pm. And asked for a continuance due to the fact that I had no time to prepare. She told
me she could not and would address it at the Hearing at 10:30am. Arrived and requested to
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get a copy of my file from District Justice Staff. All witnesses from the Prosecution were
present and called into courtroom about 30 minutes before me with other people), which I was
not aware of. Did not know what type of hearing I was having. Kept asking for an
explanation. Approximately 11:15 am - Hearing started by Honorable Commins with a woman
Prosecutor (Said she was from Lancaster District Attorney Office Ms. Mazzouri?) on opposing
desk. I immediately moved for a motion for a continuance due to the above, and the District
Justice declined, and I asked what the proceeding was, and she said "we will begin this
proceeding, Prosecutor call your first witness". Thought it was like last arraignment on
December 5 in Magisterial District Justice Reuter, just Officer Bezzerd and me. Had to cross
witnesses with no time to prepare. Could not raise concern that the Affidavit of Probable
Cause was changed on May 18, 2006 and quite different from original Affidavit of October
2005. (See in Original Complaint File Attachments). 2 Witnesses lied extensively, and kept
looking to prosecuter for direction. One witness lied so maliciously and testified under oath
that I said "I wish George Bush and all the Marines would Die Did not know what to do,
interrupted the hearing and asked the judge what was going on, almost walked out of
courtroom, because I was so upset. A subject matter that I am very passionate and
knowledgable about, the War in Iraq and the Troops - always trying to educate so people
would at least support the troops. Ordered case moved to and signed Bail Bond and received
official notice for an Arraignment in Lancaster County Courthouse on July 26,
2006..................
June 21, 2006 - SRP Officer said could not get a copy of files after asking Office Manager wanted me to cause disturbance so could cite me with disorderly conduct or get another 302
She was abusive, kept trying to get me mad with back talk and kept telling me it will cost me
for citations, I would have to pay whether in Bankruptcy or not.
Said will call when files are copied.
June 22, 2006 - Digital Cable went down at 3:00 am when trying to complete Brief for Chapter
11 Motion to Convert Order. Comcast later said it was a system glitch, returned service on
Friday, June 23 at 6:00pm.
June 23, 2006 - Lancaster City Bicycle Cop Said I went through stop sign, he was baiting me
as I drove by him in alley street, would not ride near curb Did not run stop sign Would not
give me a document for subpoena, staffer kept giving me a hard time as usual, would not
give me instructions in writing, told me to put it in writing, no instructions, with fee for service,
I said Informa Pauperis, she said give it to judge, I said what am I suppose to write? Judge
came out and said do you want to speak with me, I'm sick of you insulting my staff, I said lets
go. Gave me a lecture on insulting her staff, bit my tongue, asked for a doc or if I could use
PA Rules, said "this is the way we do things in my office" I said PA Rules governs her office,
she said no. I walked out.
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June 27, 2006 Pennsylvania State Police; Trooper David Huanis, Forensic Unit;
717-290-1976; Was referred by Southern Regional Police Department during the response to
my call in the morning of June 24, 2006; said he could not provide me the service; no one will
come and fingerprint my office or residence.

Regardless of all of the complaints and

responses by law authorities, no one will process any procedure that would result in
prosecution. I contain video surveillance of perpetrator in my residence, and evidence of
forced entry.

7.
HAVE YOU FILED A COMPLAINT ABOUT THIS MATTER WITH ANY OTHER
AGENCY?
YES NO
YES
IF SO, PLEASE SPECIFY WHICH ONE(S) AND THE DATE YOU FILED, TO THE BEST OF
YOUR RECOLLECTION.
PENNSYLVANIA ATTORNEY GENERAL JULY 1987
PENNSYLVANIA SECURITIES AND EXCHANGE COMMISSION SEPTEMBER 29, 1987
(INTERVIEW WITH AGENT HOWARD EISLER IN MY RESIDENCE AND RECORDED
WITH PERMISSION)
PENNSYLVANIA STATE POLICE JULY 1987
PENNSYLVANIA HOUSING AND FINANCE AGENCY NOVEMBER 1987 AND OCTOBER
2005
PENNSYLVANIA JUDICIAL CONDUCT BOARD
COMPLAINT NO. 2006-214;215 MAY 2006
MEETING AND EMAIL TO CHIEF LEGAL COUNSEL MR. JOSEPH MASSEY
8. HAVE YOU FILED ANY COURT ACTIONS IN THIS MATTER? YES NO
YES
IF SO, PLEASE SPECIFY IN WHAT COURT AND THE DATE YOU FILED, TO THE BEST
OF YOUR RECOLLECTION.
United State District Court For The Eastern District of Pennsylvania
05-2288 - May 16, 2005 CATERBONE v. LANCASTER COUNTY PRISON ET AL;
06-1538 June 8, 2005 CATERBONE v. FULTON BANK
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United States Bankruptcy Court Eastern District;
05-23059 May 23, 2005 PETITION FOR CHAPTER 11 BANKRUPTCY
Pennsylvania Court of Commonwealth Pleas Lancaster County;
CI 03401 April, 2005 CATERBONE v. SOUTHERN REGIONAL POLICE DEPARTMENT
ET AL;
CI-03349 April, 2005 CATERBONE v. LANCASTER GENERAL HOSPITAL ET AL;

9. IF YOU ARE REPRESENTED BY AN ATTORNEY, PLEASE PROVIDE YOUR


ATTORNEYS NAME, ADDRESS AND PHONE NUMBER:
Pro Se Litigant
10. WHAT DO YOU WANT TO SEE HAPPEN AS A RESULT OF YOUR COMPLAINT?
a. Restoration of Civil Rights
b. Restoration of Civil Liberties
c. Protection of Right to Due Process Without Undo Influence
d. Protection of Personal and Business Property
e. Financial Remedies Including The Value of Stolen Property; Lost
Opportunity; Lost Business Interests
f. Prosecution of Assailants and Perpetrators
11. PLEASE EXPLAIN YOUR COMPLAINT INCLUDING THE DETAILS SUCH AS
DATE, TIME AND LOCATION. YOU MAY USE ADDITIONAL SHEETS IF
NECESSARY.
SEE ABOVE PAGES 2 TO 68
a. RETALITORY ACTIONS DUE TO THE DISCLOSURE OF ILLICIT AND
ILLEGAL ACTIVITIES WITHIN INTERNATIONAL SIGNAL AND CONTROL
IN JUNE OF 1987; WHICH WAS PROSECUTED AND CONVICTED IN 1991
b. RETALITORY ACTIONS FOR THE COMMUNICATIONS AND SOLICITING
OF LEGAL COUNSEL TO MS. CHRISTINA RAINVILLE IN NOVEMBER OF
1997 FOR THE ABOVE MATTERS OUTLINED IN STATEMENT
NUMBERED a.
c. RETALITORY ACTIONS FOR THE SUBMISSION OF AN AFFIDAVIT TO
THE HONORABLE JUDGE STEWAR DALZALL OF THE UNITED STATES
DISTRICT COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA IN
1998 DURING THE COMMONWEALTH OF PENNSYLVANIA V. LISA
MICHELLE LAMBERT CASE

PLEASE WRITE OR TYPE CLEARLY AND DESCRIBE THE EVENTS IN THE ORDER IN
WHICH THEY HAPPENED.
SEE ABOVE PAGES 2 TO 68
IF YOUR COMPLAINT IS BASED ON RACE, INCLUDE THE RACE OF ALL PERSONS
MENTIONED (INCLUDING YOURSELF).
IF IT IS A GENDER COMPLAINT, SUPPLY THE GENDER OF ALL PERSONS
MENTIONED, ETC.
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IF THERE ARE OTHER FACTS YOU FEEL SHOULD BE CONSIDERED, RECORD THEM
ON AN ADDITIONAL SHEET OF PAPER AND INCLUDE THEM WITH THIS COMPLAINT
FORM.
SEE DOCUMENT TITLED
DEBTOR ANSWER TO UNITED STATES TRUSTEE'S
MOTION TO DISMISS OR CONVERT TO CHAPTER 7; JUNE 2006
SEE DOCUMENT TITLED
PLAINTIFFS REPLY TO FULTON BANKS RESPONSE TO PLAINTIFFS MOTION FOR EX
PARTE MEETING WITH THE HONORABLE MARY A. McLaughlin; JUNE 2006
SEE DOCUMENT TITLED
STANLEY J. CATERBONE v. SOUTHERN REGIONAL POLICE DEPARTMENT ET AL;
APRIL 2006
STANLEY J. CATERBONE v. LANCASTER GENERAL HOSPITAL ET AL; APRIL 2006
SEE CD ROM TITLED EXHIBIT A
DOCUMENTS OF INTEREST 1991
2006 PENNSYLVANIA CIVIL RIGHTS COMPLAINT FINDINGS OF FACTS
I HEREBY VERIFY THAT THE STATEMENTS CONTAINED IN THIS COMPLAINT ARE
TRUE AND CORRECT TO THE BEST OF MY KNOWLEDGE, INFORMATION AND
BELIEF. I UNDERSTAND THAT FALSE STATEMENTS HERIN ARE MADE SUBJECT TO
THE PENALTIES OF 18 Pa.C.S. 4904, RELATING TO UNSWORN FALSIFICATION TO
AUTHORITIES.

_____________/SJC/____________
YOUR SIGNATURE

June 27, 2006___________


DATE

PLEASE NOTE: YOU MAY NEED TO CONTACT A LAWYER SINCE THE ATTORNEY
GENERAL CANNOT ACT AS YOUR PRIVATE LAWYER.
As a law enforcement agency, the primary function of the Attorney General is to represent the
public at large by enforcing laws prohibiting acts of discrimination where there is a pattern or
practice of unlawful activity. Your complaint does remain on file with our office and the
Information contained in it may be used to establish future violations of Pennsylvania law or
other issues of general public importance.

REVISED JANUARY 2005

2:00 PM - 2:30 PM

Hearing District Maj Smith - HIA Parking -- 1281 South 28th Street,Harrisburg,PA 17111

I COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: DAUPHIN
Mag Dist. No
12-2-01
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MDJ Name Hon.
MICHAEL J. SMITH
1281 S 28TE ST
HARRISBURG, PA
STAN CATERBONE
220 STONE HILL RD.
COElESTOGA, PA 17516
1I
NOTICE OF CONTINUANCE
Telephone (717 ) 558-1160 17111
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT: NAME AND ADDRESS
CATERBONE, STAN
220 STONE HILL ROAD
CONESTOGA, PA 17516
Date Filed: 4/24/06
Please note that the hearing in the above captioned case, which was scheduled to occur on:
6/14/06
has been continued to: June 28th, 2006 2:15 PM
If you have any questions, please contact thls offlce immediatley
Cont~nuancere quested by BURNS, STEVEN G.
If you are disabled and require assistance, please contact the Magisterial District office at the
address above.
5/15/06 Date
My commission expires first Monday of January
CITATION NUMBER: B1270724-0 DATE PRINTED: 05/15/06
9:37:30 AM
DATE CITATION ISSUED: 4/24/06
___________________________________________________________________________
__________________________
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
MAG. DIST. JUDGE: MI- J SMITH
1281 S 28TE ST
HARISBURG, PA 17111
MAGISTERIAL DISTRICT NO.: 12 -2 - 01
1717) WR-1160
COSTS $
OTHER $
TOTAL $
6/a8/06
(Date) (Defendant)
PA 17516
(~es~denc~ed dress) (Business adam)
(rel~nm~eu maer) (relephooe Num&r)
A hearing was held pursuant to Pa. R. Crim. P.456 on- 6/28/06 , to determine the ability of ,
defendant, to pay the sentence of fines, costs, and restitution imposed on 6/28/06 in the
following: 1. Finding of CRIMINAL CONTEMPT pursuant to 42 Pa.C.S. 4137. privileges for
Violation of Title 75 Moving Violations. 3. Referral to a private collection I am financially able
to pay the fines, costs, or restitution imposed. .
/ 2 f;. ?,:;,>) , , , , , p ; .,s
PAYMENT SCHEDULE: < .. '
(Signature)
Date Amount Date Amount
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09/28/06 $67.50
TOTAL: $67.50
AOPC 416A-05 DATE PRIMTED: 6/28/06 2:55:17 PH
--

June 29, 2006


Thursday
1:00 PM - 1:30 PM

Judicial Complaint Revue Board Letter via mail

Commonwealth of Pennsylvania
Judicial Conduct Review Board
Pennsylvania Place
501 East Chestnut Street
Suite 403
Harrisburg, PA 17101
717-234-7911
June 29,2006
Stanley Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Dear Mr. Caterbone:
This letter will acknowledge receipt of your corrvndence dated June 27,2006, wherein you
inquire about your recently filed complaints. Specifically, you advise "I have no idea which
complaint number is assigned to what complaint" and request
clarification. The following list represents your recently filed pending complaints:
2006-2 14 (MDJ William G. Reuter)
2006-2 1 5 (MDJ B. Denise Commins)
2006-220 (MDJ Lm H. Eckert, Jr.)
2006-221 (MDJ Stuart J. Mylh)
a 2006-222 (MDJ Maynard A. Hamilton, Jr.)
2006-224 (Judge David Reineker)
I trust this cIarifies any confusion mated by our previous correspondence with regard to each
individual complaint number assignment.
I remind you the Pennsylvania Constitution provides that all proceedings of the Board are
coddentid except when the subject of the investigation waives Wdentiality. Pa. Const. Art. V,
8 18(a)(8). The Board cannot provide status reports of
its investigation; however, you will be notified of the Board's decision on your complaint
following appropriate review.
Very Truly Yours,
Fancis J. Puskass II,
Deputy Chief Counsel
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June 30, 2006
Friday
1:00 PM - 1:30 PM

Lancaster Co Prison Dismissal Order Appel & Yost

HARRY 8. YOST
JAMES W. APPEL
JOHN L. SAMPSON
KENNETH H. HOWARD
WILLIAM A. WHEATLY
WILLIAM J. CASSIDY, J R .
MAlTHEW G. GUNTHARP
ELAINE G. UGOLNIK
ROBERT W. HALLINGER PETER 8. ASTORINO
ERAOLEYA. ZUKE
RETIRED
T. ROBERTS APPEL. I1
GRETA R. AUL
OF COUNSEL
J. MARLIN SHREINER
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 175 16
LAW OFFICES
THIRlY-THREE NORTH DUKE STREET
LANCASTER. PENNSYLVANIA 17602
(7171 384-0521
FAX(717)431-1664
(emmi0 DonruO@appeIyost.com
June 30,2006
Stone Harbor Police Department
9508 Second Avenue
Stone Harbor, NY 08247
ROBERTS R. APPEL 11832-1986)
RALPH W. EBY. JR. (1841-1886)
MERRILL L. HASSEL 11941-1972)
OFFICE AT NEW HOLLAND. PA
142 EAST MAIN STREET
(71 71 354-a1 17
OFFICE AT STRASSURQ. PA
39 EAST MAlN STREET
(7171 687-7071
OFFICE AT QUARRYYaLE.PA
175 OAKBOTTOM RD
(717) 788-31 72
OFF ICE AT EPHRATA. PA
123 EAST MAlN STREET
(7171 733-2104
OFFICE AT CHRISTIANA, PA
4 SADSBURY AVENUE
(810) 593-6740
Patricia J. Baxter, Esq. George M. Gowen, III, Esq,
SEGAL MCCAMBRIDGE 1900 Market St.
SINGER & MAHONEY LTD Philadelphia PA 19103
UNITED PLAZA 30 S. 17th Street, Suite1700
Philadelphia, PA 19103
Christopher S. Underhill, Esq. Stephanie Carfley, Esq.
HARMAN UNDERHILL & BARLEY SNYDER LLC
BRUBAKER, LLP 126 East King St.
221 E. Chestnut St., Lanc., PA 17602 Lancaster, PA 17602-2893
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Lancaster Co. Sheriffs Dept. Southern Regional Police Dept.
LANCASTER CO COURTHOUSE 47 East High Street
50 North Duke Street New Freedom, PA 17349
Lancaster, PA 17602
Re: Stanlev J. Caterbone v. Avalon Police De~t.e.t . al.
Dear Sirs/Madam:
Enclosed please find a copy of the Brief in Support of Lancaster County hison's Motion to
Dismiss
Complaint and Affidavits of Warden Vincent Guarini and Attorney Kelin, the originals of which
were filed
with the court on this date.
Thank you.
Sincerely,
Donna E. Owens
Paralegal for Robert W. Hallinger
deo
Enclosures
cc: Vincent Guarini, Warden

July 02, 2006


Sunday
1:00 PM - 8:00 PM

Blondie and Cars Clipper -- Clipper Stadium

July 03, 2006


Monday
1:00 PM - 1:30 PM

Judge Mary McLaughlin Order to Lancaster Co Prison

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE 30 CIVIL ACTION
v.
LANCASTER COUNTY PRISON, et al. : NO. 05-2288
AND NOW, this 36fh of Tune, 2r06, upon consideration of the motion to dismiss of Lancaster
County Prison (Doc. No. 32).
whereas the Court dismissed the complaint as to Lancaster County Prison on June 12, 2006,
and whereas the plaintiff has not filed an amended complaint, IT IS HEREBY ORDERED that
the motion is DENIED as MOOT.
BY THE COURT:
MARY -A. MCLAUGHLIN, J?
1:00 PM - 1:30 PM

PP&L Shut-Off Notice

July 05, 2006


Wednesday
9:30 AM - 10:00 AM

Hearing Dist Justice M Hamilton 464-4141 -- 324 Beaver Valley Pike, Willow Street,PA 17584

Fiorril lied about waving hands, giving him the finger, with both hands on wheel, was taking
picture, about tailing him 1 to 2 feet going 45 mph for 1/2 to 3/4 miles, said happened after
Amish Store. Said I said " Go Fuck Yourself".
Judge never questioned Fiorell, just asked why he would lie, I said because of Law Suits.
Questioned why no finger printing, Judge questioned me about someone stealing picture from
computer of Fiorril during incident. Questioned me about mattress on Fiorrel roof of car.
Fiorill kept staring at me for long periods of time when I was on the witness stand, was only 4
feet from me, trying to intimidate me.
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Judge was arrogant and would not listen to a word I said, kept trying to rush my testimony,
and kept trying to intimidate me by supporting Fiorril. Told him Police Officers can lie to.
___________________________________________________________________________
___________________________
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
___________________________________________________________________________
_________________________
COMMONWEALTH OF PENNSYLVANIA
02-3-03
MDJ Name Hon
MAYIVABI) A. UILTOH, JB
324 BEAVER VALLEY PIKE
WILLOW STREET, PA
I Telephone: (717 ) 464-4141 17584
STANLEY J. CATEBBONE
220 STONX HILL ROAD
COBESTOQA. PA 17516
DEFENDANT:
NOTICE OF TRIAL
SUMMARY CASE
COMMONWEALTH OF
PENNSYLVANIA
VS.
NAME and ADDRESS
220 STONE HILL BOM
CONESTOGA, PA 17516
Docket No.: TR-0001010-06
IDate Filed: 5/10/06
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Charge(s):
75 83736 SSA RECKLESS DRIVIHG
II
This coun has received your plea of NOT GUILTY to the above summary violation(s). The
sum of $ -00
has been accepted as collateral for your appearance at trial.
Your trial has been scheduled as follows:
You have the right to be represented by an attorney. You have the right to have any
witnesses present. It is your
responsibility to notify your attorney and/or witnesses of this trial date and time.
Date: 7/05/06
Time: 9:30 AW
Should you fail to appear for your trial, a warrant may be issued for your arrest.
Place: DISTRICT COURT 02-3-03
324 BEAVER VALLEY PI=
WILLOW STREET, PA 17584
717-464-4141
Failure to appear for your trial shall constitute consent to trial in your absence and if you are
found guilty, the collateral
- deposited shall be forfeited and applied toward the fine and costs. You shall have the right
to appeal within thirty days
for a trial de novo.
If you have any questions, please call the above office immediately.
5/17/06 Date
My commission expires first Monday of January, 2012.
If you are disabled and require a reasonable accommodation to gain
and its services, please contact the Magisterial District Court at the a
We are unable to provide transportation.
CITATION =En: B0818239-2 DATE CITATION SI-8
DATE PRINT=: 5/17/06 10:04:03 AM
AOPC 61 1-05

9:30 AM - 10:00 AM

Hearing DJ Hamilton Busser -- 324 Beaver Valley Pike, Willow Street,PA 17584

Arrived 8:50 am, did not have a file. Matt Bomberger was already in office behind the glass
window with Hamilton's staff. Asked Bomberger what his defense was, and told me to go
outside, asked him why he would not meet with me, he said he was out of office Friday and
Monday, and said about wanting to go over the file in the meeting, reminded him about
having the brief due, and that I was not informed this hearing was on the schedule. I notified
staff I had to go home, walked outside and Busser pulled up, Bomberger said wait the officer
is here, I said I don't care, he said my defense is "you didn't know what you were doing", I
said you better find a better defense than that.
Got back Officer Eisenhower of West Lampeter told me he had to frisk me for weapons at the
request of the Judge, and frisked me and emptied my pockets right outside of the courtroom;
and Judge immediately started Hearing, Fired Bomberger because of inadequate defense,
Judge asked about if I knew of ramifications, Bomberger said you cannot use him again for
any other preceedings, I told Judge he did not tell me that in the meeting with him when I
asked. Court Reported said she was not going to trascribe because she was hired by the
Public Defender, I said I went to the Court Reporter office and they were already on schedule,
could not use my informa pauperis, she refuesed to work, and Judge let her go. She stayed
in hearing room. motion to recuse, he said why, I said because of incident at Crossgates Golf
Course, he said denied. Motion for Coninuance, denied. Fired Bomberger and he stayed in
back taking notes.
Busser testified lied about said someone called County Wide and said I was at the Conestoga
Wagon Wheel, he said Fedor called him. Said I pulled into parking lot and was 4 to 5 feet
from him, he lied I was 1 to 2 feet from himl, he said I yelled at him and he could not hear
him. He said that he said " I was under arrest", then said about this story about the Historical
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Society, I pulled in there and fled from him. I asked how I could get out of parking lot if there
was only one enterence how could I get out? Said I pulled over to the side. Said that I got
out of car after they broke window, reminded him that I was pulled out. Said that Millersville
Boro was unmarked car, then said he was not sure. Identified everyone that was there,
millersville, manor, MSU, conestoga, West lampeter. Said that West Lampeter was in
pursuit, told judge that only Busser was in support, that I never saw anyone else until
Millersville Boro stopped infront of me.
Kept telliing Judge he was lying, Judge kept warning me. I could not take all the lying that
was going on. Asked why I had computer if I was forma pauperis, and had no money, told me
to get a job and be constructive. Told me to pay in two weeks, said file papers if you have
none, told him what Dauphin County, Smith, did.
Asked to play tape, Judge said no, said something about it wasn't important, Bomberger went
nuts, interupted Hearing and said "You better come outside, it is in your best interest", I said I
fired you, he kept it up, I went outside and he said I violated the Eavesdropping act with the
tape about recording a conversation, I said he was nuts, I was talking to myself not the
recorder, they don't understand what a Memo Recorder is, or for. He pulled out the CD I
gave him and he wanted to give it back, I walked away from him and told him to get away
from me, and walked back into the Front door and back into the courtroom. Told Judge he
was harrassing me.
After all hearings Bomberger went up to Judge and said glad to meet you and shook hands
and started to talk.

___________________________________________________________________________
________________
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF -CASTER
Mag D st No
02-3-03
MDJName no"
MAYHILPD A. HAmILTON, JR
Mdl*bb 324 B M M R VALLEY PIKE
WILLOW STREET, PA
I Telephone: (717 ) 464-4141 17584
STAHLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
NOTICE OF TRIAL
SUMMARY CASE
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT: NAME and ADDRESS
r m ~STI~LIRLEY~ J. ~ , 1
220 STOIPE HILL ROAD
COIPESTOM, PA 17516
Date Filed: 5/10/06
Charqe(s):
S 75 S3310 SSA FOLLOWING TOO CLOSELY
This court has received your plea of NOT GUILTY to the above summary violation(s). The
sum of $ .OO ~ has been accepted as collateral for your appearance at trial.
I Your trial has been scheduled as follows:
~ Should you fail to appear for your trial, a warrant may be issued for your arrest.
Date: 7/05/06
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Time: 9:35 AM
Failure to appear for your trial shall constitute consent to trial in your absence and if you are
found guilty, the collateral
- deposited shall be forfeited and applied toward the fine and costs. You shall have the right
to appeal within thirty days
for a trial de novo.
Place: DISTRICT COURT 02 -3 -03
324 BMYER VALLEY PIKE
WILLOW STBEET, PA 17584
717-464-4141
1 If you have any questions, please call the above office immediately. You have the right to
be represented by an attorney. You have the right to have any witnesses present. It is your
responsibility to notify your attorney and/or witnesses of this trial date and time.
5/17/06 ~~t~
My commission expire
If you are disabled a
and its services, please contact the Magisterial District Court at the above a
We are unable to provide transportation.
CITATION m E R : B0818240-3 DATE CITATION SIGNED:
DATE PRIHTED: 5/17/06 10:06:07 AM
AOPC 61 1-05

11:00 AM - 11:30 AM

Call for Chapter 11 Hearing Transcript

July 06, 2006


Thursday
8:00 PM - 8:30 PM

Lancaster County Public Defender Letter to

Stan J. Caterbone
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
July 6, 2006
James J. Karl
Chief Public Defender
Lancaster County Commissioners
Office Of The Public Defender
28 East King Street
Second Floor. Suite 213
Po Box 83480
Lancaster. Pa 17608.3480
Re: Commonwealth v. Stanley Caterbone; OTN # K391399-1
Dear Mr. Karl:
On Wednesday, July 5, 2006 I had to dismiss your Assistant Public Defender Mr. Matt
Bomberger prior to the start of the Preliminary Hearing scheduled before Magisterial District
Judge Maynard Hamilton. I had asked Mr. Bomberger prior to the start of the Hearing what
was he going to use for my defense, and he replied; You did not know what you were doing.
I asked him to rethink his strategy and come up with another plan. He refused. He had
violated his professional code of ethics and your mandated authorization to provide me with a
competent legal defense.
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I had requested meeting with Mr. Bomberger on numerous occasions to discuss my defense
for this offense, starting with the meeting we had in his office on June 22, 2006. He had
refused.
As for the charges, it is clear that the offense was fabricated and motivated by malicious
interests. Of course, you made it impossible for me to articulate and provide the details to
anyone in your office. And I suspect this was a calculated strategy to continue the attack on
my credibility to counter my Civil Actions in Federal and State Courts against other
departments within the jurisdiction of Lancaster County, filed in May of 2005. Every time that
I attempt to resolve the issues dating back to 1987 and continuing today, Lancaster County
at-large strikes back with furor and promotes prosecutorial misconduct. And now you have
enjoined that attempt.
During my Hearing, Mr. Bomberger, aggressively interrupted, and requested that I assist him
outside of the building stating that It would be in your best interest. I kept telling him to be
quite, and he kept yelling it. I finally agreed and walked outside. He then tried to convince
me that the audio CD I gave him containing the tape recorded memo during the Fleeing and
Eluding incident violated the Pennsylvania Eavesdropping statute, and attempted to give me
back the CD. I told him that he was nuts.
You have got to be kidding me. I purposely turned on my Digital Voice Recorder to document
the incident by speaking to the recorder while the device was in my shirt pocket soon after
Officer Busser started pursuing me on Kendig Road. There was no one in my vehicle with
me, and I was not on any cellular phone. Please explain to me how this is a violation of any
eavesdropping laws. The Digital Recorder was taken from my person, along with all of my
other belongings that were in my pocket. This also includes the white envelope of $740.00 in
cash that is still missing and stolen. The recording finally ran out of memory during the ride
to the Lancaster General Hospital with Officer Eisenhower of the West Lampeter Police
Department.
www.amgglobalentertainmentgroup.com
infor@amgglobalentertainmentgroup.com
717.731.8184 Phone
717.427-1621 Fax
Mr. James J. Karl
Chief Public Defender
Page 2

Also enclosed is a document that I had prepared in preparation for the Hearing for Mr.
Bomberger on July 5th. Mr. Bomberger also informed the Courts, and me that by dismissing
him from that Hearing, I would no longer be eligible for any of your services in the future. I
quite distinctly asked him during our meeting about the possibility of dismissing him prior to
the start of a Hearing, and he did not mention this policy.
I am formally accusing your Department of misconduct and a host of other civil rights
violations. I would expect that you could provide me with an explanation.

Respectfully,

Stan J. Caterbone

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cc:
Dick Shellenberger. Chairman, Lancaster County Commissioner
Howard Pete Shaub, Lancaster County Commissioner
Molly S. Henderson, Lancaster County Commissioner
Mr. Donald Totaro, Lancaster County District Attorney
Enclosures

Notes of Meeting on June 22, 2006 Lancaster County Public Defender Matt Bomberger
Wanted me to go over Busser case, would not, wanted to go over East Lampeter 1st
Never said anything about waiver till I mentioned it, did not expect to go over cases
Attitude towards Fed suits, other person in office kept heckling me, asked who he was Steve
Greenalay???
Went over statement gave receipt for D&S
Would not tell me if he was my public defender, said he didn't know
Wanted me to go over Busser case, said I was tired, later date (I told him it was not
scheduled), would not agree to meet later or schedule a meeting to discuss, kept wanting me
to go over it then
BUSSER Citations-Prosecutorial Misconduct
POLICE
CRIMINAL COMPLAINT
AFFIDAVIT of PROBABLE CAUSE
1.On 04/0 3/06, a 302 commitment was obtained from Crisis Intervention for the Def Several
attempts were made to apprehend the def. but he was not apprehended.
Crisis Intervention for the Def When and why
2. On 04/05/06, this affiant was on a wires down call to New Danville Pk. I received a cell
phone call from Off. Fedor who related that the def. was at the Conestoga Wagon
Restaurant. I got the fire police to direct traffic and I proceeded to the restaurant. I passed the
cruiser on the way to Lancaster
Upon arrival, the def. was no where in sight. I circles back behind the restaurant and when I
came out to the edge of Main St., still on the parking lot, the def. pulled in beside me and
stopped. He asked if I was going to arrest him and I told hlm to pull over into the parking lot
and stop and I would come and talk to him. Would not tell me I was under arrest, I said I have
a schedule and asked him to call me. The def. then went back behind the restaurant and
pulled out onto Kendig Rd. and started to travel north. I activated my lights and siren and the
def. pulled over at the Conestoga Historical Society. I pulled in behind him and approached
his vehicle on the drivers side. I asked him to get out of the vehicle, a 2005, Honda, mini van,
with Pa. Reg. FXM4153. The def. This NEVER HAPPENED. then pulled back out onto
Kendig Rd. and proceeded North. 3. This affiant then started to pursue the def. north on
Kendig Rd. I had the police vehicles light and siren activated. The def. would not stop and he
proceeded to turn left onto Stony Lane then right onto Stehman Rd. While going north on
Stehman Rd. approx. 114 mile before Long Ln., I pulled along side the def. and tried to force
him to pull over but he
kept going north. I proceeded to follow behind with my emergency equipment activated.
4. The def. proceeded north on Stehman Rd and crossed Long Ln. The def. proceeded to
cross into Manor Twp. Chief John Rochat, Millersville Boro PD was coming south on N. Duke
St., (Stehman Rd) and pulled in front of the def. and forced him to stop. The def. would not
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July 06, 2006 Continued


Thursday
get out of his vehicle and had the windows rolled up and the door had to break out the
passenger side window, to remove the def. w AOPC 412C- 01/25/99
Stan J. Caterbone
PRIVATE CRIMINAL COMPLAINT
The acts committed bv the accused were: Plaintiff finished filling his vehicle with gasoline at
the Conestoga Wagon Store and went into the store to purchase a newspaper and pack of
cigarettes. After retuning to vehicle and pulling away, plaintiff realized that the gasoline pump
was still in his vehicle, disengaging fuel pump. Plaintiff backed up and restored the pump to
its proper position while a clerk came out. Plaintiff apologized to store clerk and told clerk to
tell the owner. Bill Rankin to call plaintiff if there was any damages. Plaintiff left store and
proceeded north on Main Street. A Southern Regional Police cruiser passed plaintiff traveling
south on Main Street. Plaintiff immediately turned around to see if the Conestoga Wagon
store had placed a call about previous incident. Plaintiff pulled beside the Southern Regional
Police cruiser and found the defendant, Sgt. Buser in the cruiser. Plaintiff rolled down window
and asked "Is there a problem, did the Conestoga Wagon just call you?". Defendant said
"Stan. I want to talk to you." Plaintiff told defendant that he was busy and asked if he was
under arrest. Defendant again repeated. "I want to talk to you". Plaintiff again asked
defendant if he had an arrest warrant, and defendant would not respond. Defendant DID NO
Plaintiff pulled away from Defendant, en route to the Lancaster County Courthouse to file a
Civil Complaint against the Southern Regional Police Department, which was completed the
evening before and emailed to the Lancaster County District Attorney, Donald Totaro
Defendant followed Plaintiff on Kendig Road with sirens and lights on. Plaintiff immediately
turned on his Digital Audio Recorder to make notes of incident. (Transcript is available).
Defendant filed a false statement to authorities and filed a Police Prosecution for Fleeing or
Attempting to Elude Police Officer. Plaintiff filed the Civil Complaint in the Lancaster County
Court of Common Pleas against Sgt. Buser and the Southern Regional Police Department on
April 11. 2006, the day after Plaintiff was discharged from the Psychiatric Unit of the
Lancaster General Hospital. after completion of the 5 day rule.
1.
2.
3.
4.
5.
6.

Was on the way to Safety Deposit Box and Lancaster County Courthouse
Never Stopped at Historical Society
302 was retaliation for Judicial Conduct Board asking for more info march 29
Sent email to Totaro night before re Stanley J. v. Southern Regional
Filed Charges 1 day April 12 after filed Stanley J. v. Southern Regional April 11th
Lawsuit 0 CI-06-03401

CROSS EXAMINATION Retaliatory in Nature


1.
2.
3.
4.
5.
a.
b.
c.
d.
e.

Audio File
April Burglary
Shot Fired Email
302 and all issues
Libel allegations Make him articulate
Feb 18,2005 Document
Feb 19 2005
Called family told in meeting on Feb 18, 2005 argued over privacy issues
March 21 2006 Shot fired take medication, your nuts
LGH 302 Allegations

6.
Lawsuit 0 CI-06-03401 Amended on Friday April 28th, Filed on April 4th to Lancaster
District attorney 11:30 am
7.
Citations on Monday
8.
Emails Leading up to April 4th
9.
Federal Lawsuit Judge Dalzell Indictments of Law Enforcement and Judicial
System of Lancaster County
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Thursday
10.

Litigation Schedule

July 09, 2006


Sunday
7:30 PM - 8:00 PM

LadyBalcksmith

July 10, 2006


Monday
12:00 AM - 12:30 AM

MDJ Commins East Lampeter Appeal Due

1:00 PM - 1:30 PM

Letter from Public Defender

COUNTY COMMISSIONERS
DICK SHELLENBERGER, Chairman
HOWARD "PETE SHAUB
MOLLY S. HENDERSON
COUNTY
OFFICE OF THE PUBLIC DEFENDER
29 EAST KING STREET
SECOND FLOOR, SUITE 213
PO BOX 83480
LANCASTER, PA 17608-3480
TELEPHONE 717-299-8131
JAMES J. KARL
Chief Public Defender
July 10, 2006
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Re: status of Public Defender representation in your 2 pending cases
Dear Mr. Caterbone:
You have 2 sets of criminal charges pending against you. First, there are charges that were
filed by the East Lampeter Township Police Department. The charges included harassment,
disorderly conduct, and theft of services. You represented yourself at the preliminary hearing
before Judge Commins. The judge determined that there was a prima facie case and bound
over the charges to the Court of Common Pleas. They are docketed to Information No.
2843-2006. The next court proceeding is Arraignment on July 26, 2006, at 9:00 A.M. in
Courtroom A of the Lancaster County Courthouse. After your preliminary hearing, you applied
for representation by the Public Defender's Office. I assigned Matthew Bomberger as your
attorney. He has entered an appearance in the case at No. 2843-2006. You refused to sign
the written Waiver of Arraignment, which would have excused you from attending the
arraignment proceeding. Second, the Southern Regional Police Department charged you with
the offense of Fleeing or Eluding a Police Officer. You applied for Public Defender
representation prior to your preliminary hearing, which was scheduled for July 5, 2006, before
Judge Maynard Hamilton. Matthew Bomberger, an employee of this office, appeared on your
behalf at Judge Hamilton's. Prior to the commencement of the hearing, you indicated that you
did not wish to be represented by Mr. Bomberger. You completed the hearing without
counsel. The judge determined that there was a prima facie case and bound over the charges
to the Court of Common Pleas. Those charges have not yet been assigned a docket number
at the Common Pleas level. The original docketing number is known at the "OTN" number.
The OTN number for this charge is OTN # K391399-1.
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Monday
Stanley Caterbone
July 10, 2006
Page Two
-----*--*---The next court proceeding is Arraignment in the Court of Common Pleas. That arraignment
should be scheduled for August 30, 2006, at 9:00 A.M. in Courtroom A of the Lancaster
County Courthouse. Judge Hamilton should have given you a Notice of Arraignment for that
date. Check your actual notice to make sure that it sets forth the date of August 30, 2006.
Because you refused representation by Mr. Bomberger at the hearing on July 5, 2006, the
Office of the Public Defender will enter an
appearance as your attorney in the Court of Common Pleas f or the FhdW and Eluding
charge at OTN # K391399-1. If you want the Public Defender's Office to represent you on
those charges, you are required to apply again at the Office of Bail Administration and Pretrial
Services. Unless and until you complete another application process, no one from the Publlc
Defender's Office will take any action in the case at OTN #K391399-1. As things now stand,
you will be required to be physically present at arraignment on August 30, 2006. All further
notices regarding court appearances should be directed to you as an unrepresented
defendant. Your refusal of representation on that case raises the question of whether you
want the Public Defender to continue as your attorney in the case docketed to Information No.
2843-2006. As matters now stand, Mr. Bomberger of this office has entered an appearance
on your behalf. Unless a judge of the Court of Common Pleas permits us to withdraw our
appearance as your attorney, we are required to continue to serve as your attorney. You have
not indicated what you wish to do in that regard. I f you want us to file a motion seeking the
court's permission to withdraw as your attorney, you must communicate that wish to us in
writing. Otherwise, Mr. Bomberger will continue to serve as your counsel at Number
2843-2006. Remember, because you failed to sign the waiver of arraignment form, you will
be required to physically attend the arraignment scheduled for July 26. Accordingly, as
matters now stand, you must attend two arraignment proceedings: the one scheduled on July
26 and the one scheduled on August 30.
Very truly yours,
OFFICE OF THE PUBLI EF NDER
TM,~
'.%' Chief Public efender

July 11, 2006


Tuesday
9:00 AM - 9:30 AM

Hotelliers Horst & Fairfiled File Suit

2 area hotels file lawsuit over room tax


Targets downtown project
BY P.J. REILLY, Intelligencer Journal Staff
The owners of two Lancaster County hotels on Tuesday filed a lawsuit claiming the county's
hotel room tax is unconstitutional. Horst Hotels Co., owner of Fairfield Inn by Marriott in
Manheim Township, and Ephrata Motel
Partners, owner of Holiday Inn in Denver, filed the suit in Lancaster County Court. Named as
defendants are the
Redevelopment Authority of City of Lancaster, Lancaster County Convention Center Authority
and Penn Square
Partners. Those three entities are behind plans to build a 300-room Marriott Hotel and
220,000-square-foot convention center at the site of the former Watt & Shand department
store on Penn Square. Lancaster County also is named as a defendant. The lawsuit asks that
the 1999 county ordinance that established the tax be declared unconstitutional. It also seeks
a permanent injunction preventing the county from enforcing the ordinance and asks that all
the tax money the two companies have paid over the years be returned. Horst Hotels and
Ephrata Motel Partners believe the 3.9-percent tax harged for hotel room rentals in the
county is unconstitutional because it places a burden on them without creating a
"corresponding benefit" and because the tax "does not effectuate a public purpose," the suit
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July 11, 2006 Continued


Tuesday
states. "Instead, the taxes benefit only the proprietary interests of the county of Lancaster and
the city of Lancaster and the operator and future owner of the adjoining hotel," the suit states.
A group of 11 hoteliers filed a similar suit against the convention center authority in 2000,
also alleging the tax is unconstitutional. Those hoteliers, which did not include Horst Hotels or
Ephrata Motel Partners, maintained
they should not be taxed to provide funding for a competing business.
Proceeds from the tax go to the convention center authority and the Pennsylvania Dutch
Convention and Visitors Bureau.
The authority gets 80 percent of the proceeds -- about $3 million per year -- while the
bureau gets the remaining 20 percent.
The authority uses the money to pay for its work on the $139.8-million convention center
and hotel.
The 11 hoteliers were unsuccessful with their lawsuit.
The new suit notes that one reason county Judge Louis J. Farina ruled against the hoteliers
following a trial was the hotel would be privately financed and the convention center
authority would not be involved in its operation.
"Now, however, the project is entirely publicly owned with common management," the new
suit states.
Interstate Hotels was hired to manage both the hotel and the convention center.
It also has been decided that, while Penn Square Partners will own the hotel business, the
building that business will occupy will be owned by the redevelopment authority.
Also, there will be about 67,000 square feet of convention center/hotel space commonly
owned by the convention center authority and the redevelopment authority.
The new suit also cites the feasibility study of the project done this spring by PKF Consulting
at the request of the county commissioners.
That study predicts the convention center and hotel will lose at least $1.4 million per year
before taxes and debt service are paid.
The study also found the proposed hotel will siphon about 16,500 hotel-room rentals from
existing county hotels each year.
"The continued imposition of the hotel tax, where the county's own consultant has opined
that there will be a loss of room nights by the county hotels is a direct economic harm to
plaintiffs, is the funding of private enterprises in a competing convention center and hotel
operator with public monies and will result in the expenditure of substantial public funds on a
speculative and financially unfeasible project," the lawsuit states. Attorney Kathryn Simpson
of the Harrisburg law firm Mette, Evans and Woodside, which is representing Horst Hotels
and Ephrata Motel Partners, could not immediately be reached Wednesday for comment.
County commissioners Pete Shaub and Molly Henderson said they had not seen the suit as of
Wednesday afternoon, and therefore declined to comment on it. Dave Hixson, executive
director of the convention center authority, could not immediately be reached Wednesday for
comment. The suit was filed just a day before a hearing commenced in county court
regarding a lawsuit filed last month by the redevelopment authority, convention center
authority and Penn Square Partners against the county commissioners for allegedly trying to
kill the convention center/hotel project.
Citing fears about potential taxpayer liability, commissioners Henderson and Dick
Shellenberger have launched a series of attacks against the project, including their threat of
revoking the county's 2003 guarantee of the convention center authority's $40-million
construction bond. Penn Square Partners is composed of general partner Penn Square
General Corp., a High Associates affiliate, and limited partners Fulton Bank and Lancaster
Newspapers Inc., publisher of the Intelligencer Journal, Lancaster New Era and Sunday
News.
6:00 PM - 6:30 PM

Website Hacked - Cannot Edit Site & Statistics Corrupted

Day

Hits
Files
Pages
Visits
Sites
KBytes
___________________________________________________________________________
________________________
5
3 0.
03%
30
.04% 0
0.00%
0 0.0 0%
1
0.57% 19 0
.03%
6
00
.00%
00
.00% 0 0
.00%
00
.00%
0
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July 11, 2006 Continued


Tuesday
0.00% 0 0
.00%
7
981 8 .31%
4.29% 3759 6.20%
8
1191 10.0%
12.00% 4889
8.06%
9
1544 13.08%
34.86% 4260 7.02%
10
5988
50.72%
17.71% 38389 63.27%
11
2093 17.73%
32.00% 9316 15.35%
12
70
.06%
3.43%
46
0.08%

605

7.28% 138

19.80%

22

13.92% 251

907

10.92% 120

17.22%

20

12.66% 21

1372

16.51% 118

16.93%

45

28.48% 61

3790

45.61% 184

26.40%

26 1

6.46% 31

1627

19.58% 134

19.23%

42

26.58% 56

0.06% 3 0

.43% 3

.90% 6

July 12, 2006


Wednesday
6:00 AM - 6:30 AM

Website Hacked - Locked Out

From :
<support@sitewebmasters.com>
Sent :
Wednesday, July 12, 2006 1:52 PM
To : amgroup01@msn.com
Subject :
Reply: Site Builder #741810
_____

======== CUT HERE =========


Your support request was answered:
Created: Jul 12, 2006 10:41:58 AM
Last Mod: Jul 12, 2006 10:48:42 AM
Assigned To:
SiteWebMastersAdmin(Site WebMasters Main Account)
[Jul 12, 2006 10:52:48 AM]
A: It should be working now.

Please try again.

Thank you,
Blair Williams
------------------------------------------------------[Jul 12, 2006 10:41:58 AM]
Q: Locked out of site builder, said if using a Host, Contact
Host. Cannot Edit
Site.
------------------------------------------------------Thank you,
Blair Williams
SiteWebmasters - Tech Support
blair@sitewebmasters.com
www.sitewebmasters.com

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July 12, 2006 Continued


Wednesday
8:00 AM - 8:30 AM

Sheryl Today Show New York

11:30 AM - 12:00 PM

Meeting - Lancaster Country Detective Landis - Hackers

Gave card to receptionsist, told her to tell him he needs specialist for Hackers, per preveious
complaint.
Convention Center Hearing waiting line of 12.

July 13, 2006


Thursday
All Day

Appeal PENN DOT Drivers License Suspension -- Lancaster County Courthouse, 50 N. Duke Street,
Lancaster, PA 17602

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
COUNTY OF LANCASTER
CRIMINAL DIVISION

COMMONWEALTH OF
PENNSYLVANIA:

WID 061879283707004 001


WID 061879283707016 001
CIVIL DIVISION

Vs.
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
717-430-8184

NOTICE OF APPEAL
On this day of July 13, 2006, the Plaintiff, Stanly J. Caterbone, in the above Notice of
Suspensions filed on mail date July 13, 2006 by the Commonwealth of Pennsylvania,
Department of Transportation, Bureau of Driver Licensing, is herby appealing this decision in
the Court of Common Pleas.
The Plaintiff will appeal this decision based on allegations of retaliatory, political
discrimination, and prosecutorial misconduct. A Brief will be filed as soon as required by the
Courts. Federal Civil Actions 05-2288 and 06-1538 in the United States District Court for the
Eastern District of Pennsylvania, are taking precedent.
The Defendant will also request that this case be in Forma Pauperis.

Dated:

Advanced Media Group

July 13, 2006

____________________________
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
508

9/25/2006 10:14 AM

July 13, 2006 Continued


Thursday

COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
LANCASTER COUNTY

CERTIFICATE OF SERVICE

Stanley J. Caterbone
Represented by Stanley J. Caterbone, Pro Se
Conestoga, PA 19516
717-431-8184 Phone
717-427-1621 Facsimile
amgroup01@msn.com Email

Service To:
Pennsylvania Department of Transportation
Office of Chief Counsel
Third Floor
Riverfront Office Center
Harrisburg, PA 17104-2516
Certificates of Service were mailed via 1st class United States Postal Service on July 7,
2006.
By, ________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
Stanley J. Caterbone
IN FORMA PAUPERIS

1. I am the plaintiff in the above matter and because of my financial condition am unable to
pay the fees and costs of prosecuting or defending the action or proceeding.
2. I am unable to obtain funds from anyone, including my family and associates, to pay the
costs Litigation.
3. 1 represent that the information below relating to my ability to pay the fees and costs is true
Advanced Media Group

509

9/25/2006 10:14 AM

July 13, 2006 Continued


Thursday
and correct:
(a) Name: Stanley J. Caterbone
Address: 220 Stone Hill Road
Social Security Number: 200-46-0959
(b) Employment
Employer:
Address:

If you are presently employed, state


Advanced Media Group
220 Stone Hill Road, Conestoga, PA 17516

Salary or wages per month: $0.00 Currently in Litigation See Notes


Type of work:
If you are presently unemployed. state
Date of last employment:
(c) Other income within the past twelve months Relationship:
Business or profession: Advanced Media Group has no income at this time
See Bankruptcy Petition 05-23059, U.S. District Court For The Eastern District of
Pennsylvania Civil Actions 05-2288 and 06-1538
Other self-employment:
Interest:
Dividends:
Pensions and Annuities:
Social Security benefits:
Support payments:
Disability payments:
Unemployment compensation and supplemental
benefits:
Workman's compensation:
Public assistance: Food Stamps, PA Dept. of Welfare
Other:
(d)
Other Contributions to household support
(Wife)(Husband) Name: ______________________
If your (wife)(husband) is employed, state
Employer:
Salary or wages per month:
Type of work:
Contributions from children:
Contributions from parents:
Othcr contributions:
(e)- Property owned:
Cash: $7.00
Checking Account: $115.00
Savings Account:
Certificate of Deposit
Real estate (including home): $195,000.000
Motor vehicle
Make : Dodge Pick Up , Year 1991
-,
Cost . - $2700.00
Amount Owed $ 0.00
Make : Honda Odyssey , Year 2005
-,
Leased
Cost . - $27,000.00
Amount Owed $ 29,000
Stocks; bonds: 9996,000 shares Advanced Media Group Non Marketable Securities These
shares are subject to litigation in the United States District Court for the Eastern District of
Pennsylvania Civil Action 05-2288, there is no tangible value to the Plaintiff until this case is
completely adjucated
Advanced Media Group

510

9/25/2006 10:14 AM

July 13, 2006 Continued


Thursday
Other:
(f) Debts and obligations
Mortgage: $89,000
Rent:
Loans: Credit Cards - $40,000 Yolanda Caterbone - $30,000
Other: $5,000.00 current accounts payable
(g) Persons dependent upon you for support
(Wife)(Husband) Name:
Children, if any:
Name:
Age: . .
Date of last employment:
Salary or wages per month: Other persons:
Type of work: Name:

4. I understand that I have a continuing obligation to inform the court of improvement in my


financial circumstances, which would permit me to pay the costs incurred herein.
5. I verify that the statements made in this affidavit are true and correct. I understand that
false statements herein are made subject to the penalties of 18 Pa:C.S. , relating to unsworn
falsification to authorities.
Date: ________________________

______________________________
Petitioner

(i) The Praecipe required by subdivision (d) shall be substantially in the following form:

PRAECIPE TO PROCEED IN FORMA PAUPERIS

To the Prothonotary:
Kindly allow , Stanley J. Caterbone

(Plaintiff) (Defendant), to proceed in forma pauperis.

1, ________________attorney for the party proceeding in forma pauperis, certify that I


believe the party is unable to pay the costs and that I am providing free legal service to the
party.
(j) If, simultaneous with the commencement of an action or proceeding or the taking of an
appeal, a party has filed a petition for leave to proceed in forma pauperis, the court prior to
acting upon the petition may dismiss the action, proceeding or appeal if the allegations of
poverty is untrue or if it is satisfied that the action proceeding or appeal is frivolous.

_____________________________
Stanley J. Caterbone
Advanced Media Group

511

9/25/2006 10:14 AM

July 13, 2006 Continued


Thursday
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184

3:00 AM - 3:30 AM

Citzens Bank Extortion


amgroup01@msn.com

Printed: Friday, July 14, 2006 8:08 AM

From :
Advanced Media Group <amgroup01@msn.com>
Sent :
Friday, July 14, 2006 4:41 AM
To :
"Bargain Land " <shipping@bargainland.net>, <danielberger@comcast.net>, "endofauction"
<endofauction@ebay.com>, "GGordon" <GGordon@fult.com>, "High Group" <nfo@high.net>, "Lancaster County
Commissioners " <McCueA@co.lancaster.pa.us>, "Lancaster Intell" <IntellLetters@lnpnews.com>, "Lancaster New Era"
<neweraLetters@lnpnews.com>, "Mike Caterbone " <mtciidd@aol.com>, "Owen Kugel " <owenrkugel@juno.com>,
"Patrice Dixon " <HSDuncan@juno.com>, "Patrick Snyder " <psnyder@uncb.com>, "Pete Horn " <Rhino1818@aol.com>,
"Phil " <caterbone@sbcglobal.net>, "Phyllis Crews " <Phyllis.Crews@richardson.k12.tx.us>, "Ray Sawiski "
<rsawicki@decommunications.com>, "Stan Caterbone " <amgauctions@comcast.net>, "Sunday Newspapers"
<sunnews@lnpnews.com>
Subject : Lancaster County Banks
Attachment :
AMGWelcomePageforjuly1420.pdf (0.08 MB)
The following is a fax to a local bank just today:
"I don't understand what you have just done to my account. You have granted me credit to my account so that I would be
in a negative balance, then when I make a $160.00 deposit, you take it away with 3 fees for a total of $210.00.
Now instead of being able to pay for gas and stamps to continue my legal endeavors, I must now search for an alternative
funding source.
I should have known, Lancaster County Public Assistance just provided me with $160.00 in food stamps; so you had to get
it back somehow.
This doesn't have anything to do with the post I made on the Fulton Bank Yohoo Message Stock Board:
http://messages.yahoo.com/bbs?.mm=FN&action=m&board=7082119&tid=fult&sid=7082119&
Call Your Attorney" http://www.amgglobalentertainmentgroup.com/gpage6.html

Advanced Media Group


Stan Caterbone
www.amgglobalentertainmentgroup.com
amgroup01@msn.com
Fax: 717-427-1621

Date
Advanced Media Group

Description
Balance
07/13/2006
Insufficient Funds Fee
512

Ref.#-Chk.#

Debits

Credits

$35.00
9/25/2006 10:14 AM

July 13, 2006 Continued


Thursday
($117.53)
07/12/2006
($82.53)
07/12/2006
($79.49)
07/12/2006
($9.49)
07/11/2006
($169.49)
07/11/2006
($166.00)
07/11/2006
($160.94)
07/10/2006
($20.94)
07/10/2006
($18.99)
07/10/2006
($15.92)
07/10/2006
($12.85)
07/10/2006
($9.28)
07/10/2006
($3.27)
07/10/2006
$3.31
07/10/2006
$13.26
07/07/2006
$23.26
07/07/2006
07/07/2006
$31.34
07/06/2006
$41.77
07/06/2006
$42.40
07/06/2006
$45.04
07/06/2006
$48.53
07/06/2006
$52.10
07/05/2006
$63.48
07/05/2006
$66.97
07/05/2006
$70.46
07/05/2006
$74.03
07/05/2006
$85.04
07/03/2006
$35.04
07/03/2006
$37.16
07/03/2006
$40.23
07/03/2006
$43.93
07/03/2006
$50.06
07/03/2006
$56.41
07/03/2006
$64.88
06/30/2006
$79.89
06/30/2006
$83.88
Advanced Media Group

Master Money Purchase TURKEY HILL #0015 WILLOW STREETPA


Insufficient Funds Fee

$3.04

$70.00

Deposit

$160.00

Master Money Purchase TURKEY HILL #0076 LANCASTER PA

$3.49

Master Money Purchase TURKEY HILL #0019 LANCASTER PA

$5.06

Insufficient Funds Fee

$140.00

Master Money Purchase WEIS MARKETS #133 WILLOW ST PA

$1.95

Master Money Purchase SUNOCO SVC STATIONLANCASTER PA

$3.07

Master Money Purchase SUNOCO SVC STATIONLANCASTER PA

$3.07

Master Money Purchase SUNOCO SVC STATIONLANCASTER PA

$3.57

Master Money Purchase TURKEY HILL #0048 MILLERSVILLE PA

$6.01

Master Money Purchase TURKEY HILL #0076 LANCASTER PA

$6.58

Master Money Purchase 2CO.COM*SITEWEBMA 877-294-0273 OH

$9.95

Master Money Purchase SUNOCO SVC STATIONLANCASTER PA

$10.00

Master Money Purchase SUNOCO SVC STATIONLANCASTER PA

$3.07

Master Money Purchase WILLOW STREET CITGWILLOW STREETPA


$26.33
Master Money Purchase WM SUPERCENTER LANCASTER E PA

$10.43

Master Money Purchase GR MITCHELL SVSTR WILLOW STREETPA

$0.63

Master Money Purchase WEIS MARKETS #133 WILLOW ST PA

$2.64

Master Money Purchase TURKEY HILL #0251 LANCASTER PA

$3.49

Master Money Purchase SUNOCO SVC STATIONLANCASTER PA

$3.57

Master Money Purchase TURKEY HILL #0251 LANCASTER PA

$11.38

Master Money Purchase TURKEY HILL #0076 LANCASTER PA

$3.49

Master Money Purchase TURKEY HILL #0075 LANCASTER PA

$3.49

Master Money Purchase SUNOCO SVC STATIONLANCASTER PA

$3.57

Master Money Purchase TURKEY HILL #0076 LANCASTER PA

$11.01

Deposit

$5.01

$50.00

Master Money Purchase WEIS MARKETS #41 SLANCASTER PA

$2.12

Master Money Purchase SUNOCO SVC STATIONLANCASTER PA

$3.07

Master Money Purchase KMART 0003WILLOW STREETPA

$3.70

Master Money Purchase SUNOCO SVC STATIONLANCASTER PA

$6.13

Master Money Purchase TURKEY HILL #0076 LANCASTER PA

$6.35

Master Money Purchase WINE & SPIRITS 360LANCASTER PA

$8.47

Master Money Purchase SHEETZ 0000LANCASTER PA

$15.01

Master Money Purchase TURKEY HILL #0019 LANCASTER PA

$3.99

Master Money Purchase DARRENKAMPS MARKETLANCASTER PA

$9.78

513

9/25/2006 10:14 AM

July 13, 2006 Continued


Thursday
06/30/2006
$93.66
06/30/2006
$105.92
06/29/2006
$122.24
06/29/2006
$125.73
06/29/2006
$129.72
06/28/2006
$144.88
06/28/2006
$152.76
06/27/2006
$170.24
06/27/2006
$171.99
06/27/2006
$175.06
06/26/2006
$178.55
06/26/2006
$181.72
06/26/2006
$185.29
06/26/2006
$188.86
06/26/2006
$192.85
06/26/2006
$197.40
06/23/2006
$207.40
06/23/2006
$210.97
06/23/2006
$215.11
06/23/2006
$224.68
06/23/2006
$239.73
06/23/2006
$264.73
06/21/2006
$89.73
06/19/2006
$94.68
06/16/2006
$100.00
10:00 AM - 10:30 AM

Master Money Purchase SHEETZ 0000LANCASTER PA

$12.26

Master Money Purchase THE UPS STORE #341LANCASTER PA

$16.32

Master Money Purchase TURKEY HILL #0019 LANCASTER PA

$3.49

Master Money Purchase TURKEY HILL #0076 LANCASTER PA

$3.99

Master Money Purchase TURKEY HILL #0019 LANCASTER PA

$15.16

Master Money Purchase WEIS MARKETS #65 SLANCASTER PA

$7.88

Master Money Purchase VONAGE *PRICE+TAXE866-243-4357 NJ

$17.48

Master Money Purchase TURKEY HILL #0076 LANCASTER PA

$1.75

Master Money Purchase SUNOCO SVC STATIONLANCASTER PA

$3.07

Master Money Purchase TURKEY HILL #0076 LANCASTER PA

$3.49

Master Money Purchase KMART 0003WILLOW STREETPA

$3.17

Master Money Purchase SUNOCO SVC STATIONLANCASTER PA

$3.57

Master Money Purchase SUNOCO SVC STATIONLANCASTER PA

$3.57

Master Money Purchase TURKEY HILL #0076 LANCASTER PA

$3.99

Master Money Purchase USPS 4144060611 LANCASTER PA

$4.55

Master Money Purchase TURKEY HILL #0015 WILLOW STREETPA

$10.00

Master Money Purchase SUNOCO SVC STATIONLANCASTER PA

$3.57

Master Money Purchase USPS 4144060516 CONESTOGA PA

$4.14

Master Money Purchase WEIS MARKETS #65 SLANCASTER PA

$9.57

Master Money Purchase BJS FUEL #9019 LANCASTER PA

$15.05

Check

95

Deposit

$25.00
$175.00

Check

93

$4.95

Check

94

$5.32

Deposit

$100.00

Harleysville Insurance Inspection 220 Stone Hill Road -- Conestoga, PA 17516

See audio tape, went through and took pictures and note for everything on list, added
glasses, chain saw, wireless headset, itc.
McShea Associates, Inc.,
Insurance Adjusters
Suite 2A11
47 Marchwood Road
Exton, PA 19431
717-299-9395
610-524-9393
610-524-2413 fax
1:00 PM - 1:30 PM

MDJ Hamilton Firorill Appeal -- 50 N. Duke St, Lancaster, PA 17602

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
COUNTY OF LANCASTER
Advanced Media Group

514

9/25/2006 10:14 AM

July 13, 2006 Continued


Thursday
CRIMINAL DIVISION

COMMONWEALTH OF
PENNSYLVANIA:

TR-0001010-06
TR-0001011-06
CRIMINAL DIVISION

Vs.
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
717-430-8184

NOTICE OF APPEAL
On this day of July 13, 2006, the Defendant, Stanly J. Caterbone in the above
criminal cases is hereby filing an Appeal by Trial De Novo in the Court of Common Pleas.
The Defendant alleges that prosecutorial misconduct, discrimination, and obstruction of due
process were committed.
The Defendant will also request that this case be in Forma Pauperis.

Dated:

July 13, 2006

____________________________
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184

COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
LANCASTER COUNTY

CERTIFICATE OF SERVICE

Stanley J. Caterbone
Represented by Stanley J. Caterbone, Pro Se
Conestoga, PA 19516
717-431-8184 Phone
717-427-1621 Facsimile
Advanced Media Group

515

9/25/2006 10:14 AM

July 13, 2006 Continued


Thursday
amgroup01@msn.com Email

Service To:
Honorable Maynard A. Hamilton
324 Beaver Valley Pike
Willow Street, PA 17584
Certificates of Service were mailed via 1st class United States Postal Service on July 13,
2006.
By, ________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
Stanley J. Caterbone
IN FORMA PAUPERIS

1. I am the plaintiff in the above matter and because of my financial condition am unable to
pay the fees and costs of prosecuting or defending the action or proceeding.
2. I am unable to obtain funds from anyone, including my family and associates, to pay the
costs Litigation.
3. 1 represent that the information below relating to my ability to pay the fees and costs is true
and correct:
(a) Name: Stanley J. Caterbone
Address: 220 Stone Hill Road
Social Security Number: 200-46-0959
(b) Employment
Employer:
Address:

If you are presently employed, state


Advanced Media Group
220 Stone Hill Road, Conestoga, PA 17516

Salary or wages per month: $0.00 Currently in Litigation See Notes


Type of work:
If you are presently unemployed. state
Date of last employment:
(c) Other income within the past twelve months Relationship:
Business or profession: Advanced Media Group has no income at this time
See Bankruptcy Petition 05-23059, U.S. District Court For The Eastern District of
Pennsylvania Civil Actions 05-2288 and 06-1538
Other self-employment:
Advanced Media Group

516

9/25/2006 10:14 AM

July 13, 2006 Continued


Thursday
Interest:
Dividends:
Pensions and Annuities:
Social Security benefits:
Support payments:
Disability payments:
Unemployment compensation and supplemental
benefits:
Workman's compensation:
Public assistance: Food Stamps, Lancaster County Assistance $150.00 per month
Other:
(d)
Other Contributions to household support
(Wife)(Husband) Name: ______________________
If your (wife)(husband) is employed, state
Employer:
Salary or wages per month:
Type of work:
Contributions from children:
Contributions from parents:
Othcr contributions:
(e)- Property owned:
Cash: $7.00
Checking Account: $115.00
Savings Account:
Certificate of Deposit
Real estate (including home): $195,000.000
Motor vehicle
Make : Dodge Pick Up , Year 1991
-,
Cost . - $2700.00
Amount Owed $ 0.00
Make : Honda Odyssey , Year 2005
-,
Leased
Cost . - $27,000.00
Amount Owed $ 29,000
Stocks; bonds: 9996,000 shares Advanced Media Group Non Marketable Securities These
shares are subject to litigation in the United States District Court for the Eastern District of
Pennsylvania Civil Action 05-2288, there is no tangible value to the Plaintiff until this case is
completely adjucated
Other:
(f) Debts and obligations
Mortgage: $89,000
Rent:
Loans: Credit Cards - $40,000 Yolanda Caterbone - $30,000
Other: $5,000.00 current accounts payable
(g) Persons dependent upon you for support
(Wife)(Husband) Name:
Children, if any:
Name:
Age: . .
Date of last employment:
Salary or wages per month: Other persons:
Type of work: Name:

4. I understand that I have a continuing obligation to inform the court of improvement in my


financial circumstances, which would permit me to pay the costs incurred herein.
Advanced Media Group

517

9/25/2006 10:14 AM

July 13, 2006 Continued


Thursday
5. I verify that the statements made in this affidavit are true and correct. I understand that
false statements herein are made subject to the penalties of 18 Pa:C.S. , relating to unsworn
falsification to authorities.
Date: ________________________

______________________________
Petitioner

(i) The Praecipe required by subdivision (d) shall be substantially in the following form:

PRAECIPE TO PROCEED IN FORMA PAUPERIS

To the Prothonotary:
Kindly allow , Stanley J. Caterbone

(Plaintiff) (Defendant), to proceed in forma pauperis.

1, ________________attorney for the party proceeding in forma pauperis, certify that I


believe the party is unable to pay the costs and that I am providing free legal service to the
party.
(j) If, simultaneous with the commencement of an action or proceeding or the taking of an
appeal, a party has filed a petition for leave to proceed in forma pauperis, the court prior to
acting upon the petition may dismiss the action, proceeding or appeal if the allegations of
poverty is untrue or if it is satisfied that the action proceeding or appeal is frivolous.

_____________________________
Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184

July 14, 2006


Friday
9:00 AM - 9:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
Advanced Media Group

518

9/25/2006 10:14 AM

July 14, 2006 Continued


Friday
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee Aadrws) (Busin- Address)
,Telephone Number) ITelcohcne Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to determine the abil~tyo f
cdefendant, to pa,y the sentence of fines, costs, and
restltutlon ~mposedo n 7/05/06
The defendant, CATHLBO~, ST-EY J . , is hereby ordered
as follows:
I am financially able to pay the fines, costs, or restitution imposed. ,i,, ~ ; ..
I
I PAYMENT SCHEDULE:
Date Amount (Signature)
Date Amount
TOTAL : $75.00
DATE PPIMTH): 7/05/06 10:38:31 AH

6:00 PM - 9:00 PM

Ashlee Simpson -- Hershey

9:30 PM - 10:00 PM

Sheryl at Trumps in Atlantic City -- Antlantic City, New Jersey

Advanced Media Group

519

9/25/2006 10:14 AM

July 16, 2006


Sunday
6:00 PM - 6:30 PM

Lynard Skynad & 3 Doors Down -- Hershey

July 17, 2006


Monday
9:00 PM - 9:30 PM

Sheryl on Larry King LIVE

July 19, 2006


Wednesday
9:00 AM - 9:30 AM

JOSEPH S. SOLOMON 1705 I@ FRONT ST HARISBURG. PA17102 255-1365

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: DAUPHIN
Map. DISI. No:
12-1-03
MDJ Name Hon
JOSEPH 8. SOLOMON
Add'ess 1705 I@ FRONT ST
HAIU(1SBURG. PA
STAH CATERBOME
220 STOME HILL 9.D
CONESTOGA, PA 17516
NOTICE OF TRIAL
SUMMARY CASE
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT. NAME and ADDRESS
TCATEBBONE, STAH 1
220 STONE HILL 9.D
CONESTOGA, PA 17516
L _I
Docket No.: TR-0005057-06
7Date Filed: 6/16/06
II
This court has received your plea of NOT GUILTY to the above summary violation(s). The
sum of $ .OO has been accepted as collateral for your appearance at trial Your trial has been
scheduled as follows:
I1 II I(
You have the right to be represented by an attorney. You have the right to have any
witnesses present. It is your responsibility to notify your attorney andlor witnesses of this trial
date and time.
Date. 7/19/06
Time: 9:00 AM
Should you fail to appear for your trial, a warrant may be issued for your arrest
Place: DISTRICT COURT 12-1-03
1705 N FRONT ST
HARRISBURG, PA 17102-0000
717-255-1365
Failure to appear for your trial shall constitute consent to trial in your absence and if you are
found guilty, the collateral
deposited shall be forfeited and applied toward the fine and costs. You shall have the right to
appeal within thirty days
for a trial de novo.
If you have any questions, please call the above office immediately.
6/23/06 Date My commission expire
If you are disabled and require a reasonable accommodation to gain access and its services,
Advanced Media Group

520

9/25/2006 10:14 AM

July 19, 2006 Continued


Wednesday
please contact the Magisterial District Court at the above a We are unable to provide
transportation.
CITATION l4lJHBER: 01115545 DATE CITATION SI-:
DATE PRIHTED: 6/23/06 12:34:51 PH

July 20, 2006


Thursday
10:00 AM - 10:30 AM

MDJ Banllentine Comcast Civil Action -- 123 Locust Street,Lancaster,PA 17602 299-7974

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF LAMCASTER -Mag DlSt NO .02-2-01
MDJ Name Hon KELLY S. BALLENTINE,ESQ
123 LOCUST ST-REAR
LANCASTER, PA 17602
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
NOTICE OF CONTINUANCE
PLAINTIFF NAME and ADRESS
'CATERBONE, STANLEY J
220 STONE HIL ROAD
CONESTOGA, PA 17516
VS.
DEFENDANT NAME and ADDRESS
COMCAST CABLE, ET AL
Docket No.: CV-0000160-06
Date Filed: 4/27/06
Please note that the hearing in the above captioned case, wfli~hw as scheduled to occur on:
6/15/06
has been continued to:
If you have any questions, please contact this office immediately.
Date 7 / 2 0 / 0 6 place DISTRICT COURT 0 2 - 2 - 0 1
Continuance requested by: COMCAST CABLE
TIme 10:OO AM
If you are disabled and require assistance, please contact the Magisterial District office at the
address above.
6 / 2 0 / 0 6 Date
My commission expires first Monday of January 2012
DATE PRINTED: 6/20/06 8:51:57 AM

July 23, 2006


Sunday
7:30 AM - 8:00 AM

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Fox and Friends Post Truamatic Stress Syndrom with Dr...

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July 24, 2006


Monday
All Day

Federal 05-2288 Fulton Bank Response Due

July 26, 2006


Wednesday
9:00 AM - 9:30 AM

MDJ Comins East Lampeter Preliminary Hearing -- Lancaster County Courthouse

Another Calender Change by Hackers

July 28, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee Aadrws) (Busin- Address)
,Telephone Number) ITelcohcne Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to determine the abil~tyo f
cdefendant, to pa,y the sentence of fines, costs, and
restltutlon ~mposedo n 7/05/06
The defendant, CATHLBO~, ST-EY J . , is hereby ordered
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as follows:
I am financially able to pay the fines, costs, or restitution imposed. ,i,, ~ ; ..
I
I PAYMENT SCHEDULE:
Date Amount (Signature)
Date Amount
TOTAL : $75.00
DATE PPIMTH): 7/05/06 10:38:31 AH

9:00 AM - 9:30 AM

MDJ Solomon Warrant of Arrest Fine Indegent Due

August 04, 2006


Friday
3:00 PM - 3:30 PM

Hearing District M Simms Lanc City Police Littering 299-7966 -- 301 North Queen Street, Lancaster, PA
17603

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: m T m
02-2-04
MDJ Name: Hon
RICEARD H. Simms
Address: 301 U QUEEN ST
LAUCASTER, PA
STAMLEY J. CATERBONE
220 STONE HILL PI,
COmSTOQA, PA 17516
NOTICE OF TRIAL
SUMMARY CASE
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT: NAME and ADDRESS
STANLEY J. CATERBONE
220 STONE HILL BD
CONESTOGA, PA 17516
LJ
Docket No. NT-0000598-06
Date Filed: 4/25/06
Charae(s):
18 86501 SSAl SCATTERING RUBBISH
I
I
This court has received your plea of NOT GUILTY to the above summary violation(s). The
sum of $ -00
has been accepted as collateral for your appearance at trial.
Your trial has been scheduled as follows:
Should you fail to appear for your trial, a warrant may be issued for your arrest.
Date: June 19,2006
Time: 3:OO PM
Failure to appear for your trial shall constitute consent to trial in your absence and if you are
found guilty, the collateral
deposited shall be forfeited and applied toward the fine and costs. You shall have the right to
appeal within thirty days
for a trial de novo.
g
301 U QUEEN ST
LAMCASTER, PA 17603
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717-299-7966
If you have any questions, please call the above office immediately.
You have the r~ghtto be represented by an attorney. You have the right to have any
witnesses present. It is your
responsibility to not~fyy our attorney and/or witnesses of this trial date and time.
5/10/06
Richard H. Simms
My commission expire
If you are disabled and require a reasonable accommodation to gain
and its services, please contact the Magisterial District Court at the a
We are unable to provide transportation.
CITIATION NUMBER: P5612199-8
DATE SIGNED: 4/16/2006
DATE PRINTED: 5/10/06 9:40:40 AM
AOPC 61 1-05

August 09, 2006


Wednesday
1:30 PM - 2:30 PM

Terry Kyle Horst Construction Meeting -- Horst Construction, Manhiem Pike, Lancaster

Talked about Dale High, Convention Center, technology, Jim Tritch, Allon Lefever, said he
owns an ice cream store, loosing money. Talked about design build, competes with Dale,
Penn Manor grad, wants to get back into technology. Ran out of gas on way, used 2 cylcle
gas to get there, ran out beside Park City, was late. Receptionist put finger under eye,
religious overtones on electronic bulletin board, she kept harrassing me.

August 11, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
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TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee Aadrws) (Busin- Address)
,Telephone Number) ITelcohcne Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to determine the abil~tyo f
cdefendant, to pa,y the sentence of fines, costs, and
restltutlon ~mposedo n 7/05/06
The defendant, CATHLBO~, ST-EY J . , is hereby ordered
as follows:
I am financially able to pay the fines, costs, or restitution imposed. ,i,, ~ ; ..
I
I PAYMENT SCHEDULE:
Date Amount (Signature)
Date Amount
TOTAL : $75.00
DATE PPIMTH): 7/05/06 10:38:31 AH

August 14, 2006


Monday
11:00 AM - 11:30 AM

Filed Federal 05-2288 Motion for Continuance -- USPS Harrisburg Pike Post Office

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA

STANLEY J. CATERBONE,
Plaintiff
v.

No. 05-

CV-2288
LANCASTER COUNTY PRISON,
MANHEIM TOWNSHIP POLICE DEPARTMENT,
DEMANDED
STONE HARBOR POLICE DEPARTMENT,
AVALON POLICE DEPARTMENT,
COMMONWEALTH NATIONAL BANK (LC. MELLON BANK),
SOUTHERN REGIONAL POLICE DEPARTMENT,
LANCASTER COUNTY SHERIFFS DEPARTMENT,
FULTON BANK
Defendant

JURY TRIAL

PLAINTIFFS RESPONSE TO FULTON BANKS MOTION


TO ESTABLISH DEADLINE FOR PLAINTIFF TO FILE AMENDED COMPLAINT
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IN ACCORDANCE WITH THE COURT'S ORDER OF JUNE 19, 2006
I.
FULTON BANK BRIEF
a.
HISTORY OF THE CASE - On or about May 16,2005, Plaintiff; Stanley I. Caterbone
("Caterbone") filed a pro se Complaint against Fulton Bank (Fulton'') and various other
Defendants. Although Fulton received a copy of the Summons, Fulton was not served with a
copy of the Complaint. Upon information and belief, on or about December 17,2005, Plaintiff
sent a letter to this Honorable Court requesting leave to amend the Complaint and a hearing.
By Order dated January 5,2006, the Court directed Plaintiff to serve Defendants with the
Summons and Complaint by January 25,2006 or face dismissal of the Complaint without
prejudice. In that Order, the Court also denied a Motion to File the Complaint under Seal that
apparently was filed by Plaintiff, but never served upon Fulton.
On or about January 20,2006, Fulton received via priority mail a copy of the Court's Order of
January 5,2006, the Summons and two (2) documents entitled "Affidavit of Stanley J.
Caterbone" and "Findings of Fact" which are believed to collectively constitute the Complaint
(hereinafter ref& to as the "Complaint"). Fulton Bank filed a Motion to Dismiss Plaintiffs
Complaint and a brief in support of the Motion to Dismiss on February 9,2006. Motions to
Dismiss were also filed on behalf of Manheim Township Police Department, Commonwealth
National Bank (i.e. Mellon Bank) and Lancaster County Prison.
On or about June 2,2006, while the Motions to Dismiss were still pending, Plaintiff filed a
Motion requesting an ex parte meeting with the Honorable Mary A. McLaughlin "to discuss the
problems of preceding this action without obstruction of justice; and to amend the original
complaint as discussed previously." Fulton Bank filed a Response in opposition to Plaintiff's
Motion for an Ex Parte Meeting on June 5,2006. Plaintiff hand-delivered a Reply to counsel
for Fulton on June 12,2006. On the same day, this Honorable Court issued an Order granting
Defendants' Motions to Dismiss. The Court's Order dismissed Plaintiffs Complaint as to all
Defendants on the basis of improper service and/or the expiration of the statute of limitations.
The Court's Order also denied Plaintiffs Motion for an Ex Parte Meeting with the Court as
moot. On June 19,2006, the Court issued another Order regarding Plaintiffs Motion for
an Ex Parte Meeting which stated in pertinent part:
[To] the extent that the plaintiff is requesting leave to file an amended complaint:
I)
the request shall be deemed a motion to file an amended complaint; and the motion
is GRANTED. Although the Cow dismissed many of the claims in the original complaint as
time-barred, and the plaintiff has not attached a proposed amended complaint to demonstrate
that he will be able to cure the deficiencies in the original complaint, the plaintiff is entitled to
amend his pleadings once as a matter of course before a responsive pleading is served. Fed.
R. Civ. P. 1 S(a); Shane v. Fauver, 213 F.3d 113.1 15 (3d Cir. 2000). No responsive pleading
has yet been filed in this case.
The Court's Order did not, however, set forth a deadline by which Plaintiff must
file an Amended Complaint. To date, despite leave of court to do so, Plaintiff has still
not filed an amended pleading. Accordingly, Fulton Bank has filed a Motion to Establish
a Deadline for Plaintiff to File an Amended Complaint. This Brief is submitted in
support of Fulton's Motion.
11. ISSUE PRESENTED
A. WHETHER A DEADLINE SHOULD BE ESTABLISHED BY WHICH
PLAINTIFF MUST FlLE AN AMENDED COMPLAINT IN ACCORDANCE WITH THE
COURT'S ORDER OF JUNE 19,2006 OR FACE DISMISSAL OF THIS ACTION WITH
PREJUDICE?
Answered in the AFFIRMATIVE by Defendant Fulton Bank.
A. THIS HONORABLE COURT SHOULD ESTABLISH A DEADLINE SHOULD BY WHICH
PLAINTIFP MUST FILE AN AMENDED COMPLAINT IN ACCORDANCE WITH THIS
COURT'S ORDER OF JUNE 19,2006 OR FACE DISMISSAL OF THIS ACTION WITH
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PREJUDICE.
This Honorable Court granted Plaintiff leave to file an amended complaint by Order dated
June 19,2006. A month later, Plaintiff still has not filed an amended pleading. Since he filed
his original Complaint in May of 2005, and since Defendants filed their Motions to dismiss in
or around February of 2006, Plaintiff has had more than ample time to investigate his claims
and prepare and file an Amended Complaint Defendants are prejudiced by Plaintiffs failure to
promptly file an Amended Complaint in accordance with this Court's Order. This is especially
tme in light of the fact that the claims set forth in Plaintiffs original Complaint already have
been found to be barred by the statute of limitations. Given the length of time that has passed
without any effort having been made by Plaintiff to file an Amended Complaint, Fulton Bank
respectfully requests that this Honorable Court grant the instant Motion and establish a
deadline by which Plaintiff must file an Amended Complaint. Since Plaintiff has already had
thirty (30) days within which to file an amended pleading,. Based on the foregoing, Defendant
Fulton Bank respectfully requests that its Motion be granted and that Plaintiff be directed to
file an Amended Complaint on or before August 18,2006 or face immediate dismissal of the
instant lawsuit with prejudice.
II)

PLAINTIFFS RESPONSE

A) Since the filing of the civil action, no. 05-2288, in the United States District Court for the
Eastern District of Pennsylvania, the Plaintiff has received numerous criminal citations and
summons issued by the Commonwealth of Pennsylvania. Before that filing (05-2288) in May
of 2005, the Plaintiff has not had a citation since 1998, which was for a speeding ticket.
Officers of the Southern Regional Police Department filed a majority of those illegal citations.
The Plaintiff has filed not guilty pleas and intends to prove prosecutorial misconduct,
providing false statements to authorities, discrimination, and obstruction of justice. The
Plaintiff has filed numerous motions to continue the criminal proceedings to comply with the
your Honors instructions to amend this complaint; all without success. All of the criminal
citations were issued without merit and with prejudice to provide obstacles to the Plaintiffs
efforts to continue his Federal and State civil actions to remedy the causes of actions outlined
since 1987, and unfortunately continuing today. The Plaintiff had recently dismissed an
attorney from the Lancaster County Public Defenders Office due to inadequate counsel prior
to a preliminary hearing before the Honorable Magisterial District Justice Maynard Hamilton.
The Plaintiff has filed several complaints in the office of the Judicial Conduct Board of the
Commonwealth of Pennsylvania, in Harrisburg. The Plaintiff intends to file an action under
the False Claims Act (Whistleblowers Act) pertaining to the allegations of misconduct raised
in 1987 to local, state, and federal authorities.
B) On or about July 19, 2006, the Plaintiff filed a Civil Rights Complaint in the Office of the
Attorney General (Mr. Thomas Corbett) of Pennsylvania, which details why the Plaintiff is
filing as a Pro Se Litigant. The Plaintiff also has filed numerous briefs in Federal Courts
explaining his position as to why he is filing as a Pro Se Litigant. The last attorney the
Plaintiff has solicited to provide counsel was Ms. Christina Rainville, of the law firm of
Schnader and Harrison, of Philadelphia, in 1997. Ms. Rainville declined due to the fact that
her law firm barred her from counseling any further cases from persons in Lancaster County.
At that time, Ms. Rainville represented Lisa Michelle Lambert, and Daryl McCrakken. The
Plaintiff is in the process of having Ms. Rainville sign an affidavit attesting to that account,
and has contacted the Securities and Exchange Commission in Philadelphia to provide
contact information.
C) On or about July 25, 2006, Plaintiff had the electrical service provided by PPL Electric
Utilities shut-off, which shut down the office of the Plaintiff. The termination of the Plaintiffs
electrical service left the Plaintiff without electrical service, phone service and Internet
broadband service. All of the services are powered by and require electricity. On or about
April 25th, 2006, the Plaintiff had a meeting in the office of LIHEAP, an affiliate of the
Lancaster County Community Action Program with Ms. Floyd, a case worker. During that
meeting, a representative from accepted a payment of $600.00 from LIHEAP and spoke to
Plaintiff regarding future payments. The Plaintiff faxed documentation pertaining to the
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Chapter 11 Bankruptcy petition, case no. 05-23059, for verification of the Plaintiffs
bankruptcy petition. The Defendant accepted the documentation and did not make any
request for a payment plan in order to continue electrical service to the Plaintiff, with the
understanding that the Chapter 11 is a reorganization, and the Defendant would ultimately be
paid in full. On or about July 3rd, 2006, the Plaintiff received another 10 Day Shut-Off Notice
from the Defendant. On or about July 14, 2006, the Plaintiff communicated via facsimile to
the Bankruptcy Department of PPL Electric (484-634-3713) requesting an explanation of why
the Shut-Off Notice was sent. On or about the week of July 17th, 2006, the Defendant notified
Ms. Floyd of the situation and requested her intervention via email. The Defendant had a
representative call the Plaintiff from the Collections department and left a message on the
Defendants Vonage Internet Voicemail Account. The Plaintiff returned the call a few days
later to remind the Defendant of the negotiation and agreement on April 25th, 2006 The
representative of the Defendant would adhere to the previous agreement and notified the
Plaintiff that she did not know anything about the previous agreement, nor would she
research the validity of the previous agreement. The representative demanded that the
account be paid in full, and did not entertain any other plans for payment, which in itself
violated the terms and conditions of the Notice To Shut-Off Service. The Plaintiff is now
without electricity and is further stalled from continuing all litigation before the Commonwealth
of Pennsylvania Common Pleas Court, the United States District Court of the Eastern District
of Pennsylvania, and the United States Bankruptcy Court for the Eastern District of
Pennsylvania. The Plaintiff is also at further risk to his person, property, and all assets located
at 220 Stone Hill Road, due to the fact that the Plaintiff has no emergency phone service.
The Plaintiff filed a civil action No. 06-07188 in the Lancaster County Court of Common Pleas
Commonwealth of Pennsylvania Court of Common Pleas Lancaster County Civil Division.
Judge Georgelis erred in calling for a Hearing to dispute the Plaintiffs In Forma Pauperis
filing, when more than 7 were granted prior, and several by the same Honorable Georgelis.
No reasons for denial were ever defined in the denial orders.
D) On or about August 4th at approximately 12:30 am, 2006 the Plaintiff noticed a car tailing
him on the New Danville Pike, enroute from the Alley Kat Bar and Restaurant in Lancaster.
The Plaintiff put on his left turn signal on to pull into Pine View Dairies, then police (Southern
Regional Police) lights went on after THE PLAINTIFF started to pull into the parking lot. the
Plaintiff got out of car and put the Plaintiff put his hands in air and said "take me in", the
police ordered me back into the van, and THE PLAINTIFF locked all doors. They (Southern
Regional and West Lampeter) wanted my drivers license, THE PLAINTIFF said call the State
Police. The Officers would not state why he was pulled over. The Plaintiff sat for about 10 or
15 minutes and drank some mouthwash and Pepsi. The Plaintiff told them he did not trust
them, since he tried to surrender. Officer Cramer eventually busted out passenger side
window. One Officer opened the passenger door, and one Officer opened the drivers side
door and pulled the Plaintiff out and forced him to the ground, handcuffed him and emptied
his pockets and put the contents on the hood of a cruiser. The Plaintiff kept asking why he
was pulled over after THE PLAINTIFF turned into parking lot; the Officers would not respond.
The Plaintiff then asked the Officers to identify themselves, and they said you know who we
are. The put me into cruiser to sit for about 20 or 30 minutes. Present was Cramer, west
Lampeter Eisenhower, and two others. While in the cruiser, Officer Cramer went to the
passenger side door and pulled out a wood hatchet and placed it into a plastic bag. Officer
Cramer must have known it was sitting behind the seat. The Officer said the van would be
towed to Custom Classics. The Officer said something about going to the County, then took
the Plaintiff to SRPD precinct. The Officers kept stalling and asking basic questions and after
about 30 minutes or so gave the Plaintiff Breathalyzer; which were .076 and .073. Officer
Eisenhowser gave the Plaintiff a copy of a tape of the Breathalyzer and said THE PLAINTIFF
would get something in the mail. Took the Plaintiff home to 220 Stone Hill Road, Conestoga
at approximately 2:40am.
E) The following morning the Plaintiff went to Custom Classics, which is approximately
mile on Stone Hill Road, and the owner said the van was not there, and that there was no call
to Custom Classics during the morning hours for a tow. The Plaintiff then drove to the
Southern Regional Police Department, and Officer Busser said they called Custom Classics
and van was there; THE PLAINTIFF said he was lying, and then Officer Busser went into his
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you better settle down mode. The Plaintiff walked out and said he was going to the
Lancaster County District Attorneys Office. In the van were the Plaintiffs legal files, a laptop
computer, and printer; all required to continue his legal affairs. The van was finally recovered
from Custom Classics by the Plaintiff 7 days later on August 11, 2006 at approximately 4:54
pm for a fee of $200.00.
F) On or about August 6, 2006 at 3:00pm, the Plaintiff had a hearing before District Justice
Magistrate Simms for a citation of throwing rubbish on the ground filed by a Lancaster City
Police Officer. Before the start of the hearing, Officer Jeurich of the Lancaster City Police
Department wanted to meet in a small conference room about outstanding parking tickets.
The Plaintiff told Officer Jeurich that The Plaintiff would not discuss it with him until the
Hearing for that matter in front of a District Magistrate. About 5 minutes later, a constable
called me in the reception room for the start of the Hearing for the rubbish citation. District
Magistrate Simms told me that Officer Jeurich tried to do me a favor in negotiating a
settlement for the parking tickets and wanted $60 cash. The Plaintiff told District Justice
Simms that I had called the Lancaster City Police Department on 2 occasions trying to get a
meeting with the Parking Department to settle all of my outstanding parking tickets. The
Plaintiff told him that The Plaintiff had left a message on their voice mail to call me to
schedule a meeting. District Magistrate Simms asked Officer Jeurich, and he said he did not
get any message. The Plaintiff tried to explain to Simms that The Plaintiff had In Forma
Pauperis status, and he became infuriated. (The Plaintiff had stopped at the office of the
District Justice earlier that day to confirm my hearing time and requested a copy of my file to
prepare, and told them about the IFP status, and Simms told me that he did not know what
the In Forma Pauperis was.) Simms then said that I had to be in bankruptcy, and The
Plaintiff said I am in Chapter 11 bankruptcy in Reading. He demanded that The Plaintiff
present him with documentation, and The Plaintiff told him that my van was stolen the night
before and The Plaintiff did not have any documents on my possession. The Plaintiff stood
up and told him The Plaintiff was going home to get him the documents, and he got mad, and
said The Plaintiff was going to be cited for disorderly conduct. District Magistrate Simms said
the Plaintiff was out of order and told Jeurich and Officer (Name not available) to arrest me
on Disorderly conduct. The took me into the small conference room and Officer (Name not
available) and a female Officer Wenger took me to the Lancaster City Police station, she
verbally assaulted me enroute to the precinct, and told the Plaintiff was a cop Hater; the
Plaintiff replied that The Plaintiff only hated corrupt cops. I tried to explain that I was in the
middle of a Federal civil action, and there was no reason to arrest me because District
Magistrate Simms was dead wrong.
G) On or about August 8, 2006 the Plaintiff went to the Office of the Judicial Conduct Review
Board to file a complaint against Judge Georgelis of the Lancaster County Court of Common
Please for holding a hearing for the Informa Pauperis Status and holding up the appeals to
Superior Court; when I had many In Forma Pauperis already granted.
H) On or about August 9, 2006 the Plaintiff went to Courtroom 5 in the Lancaster County
Courthouse for the In Forma Pauperis Hearing scheduled for 9:00 am. The Sherriff would not
let me sit at table and wanted me to sit in the gallery; he showed me a memo that said all Pro
Se Litigants were not allowed to approach tables until the Judge enters the courtroom. He
then changed his mind. The Plaintiff went to the table and hooked up his laptop, and Sherriff
Bourne was not too cooperative about supplying a power source. A man sat at the opposite
table, and the Plaintiff asked who he was and he said he was Shawn Long, rep Fulton Bank,
and the Plaintiff asked what he was doing there, he said he was the Plaintiff, The Plaintiff
asked what proceeding this was, Sheriffs gave me a hard time, The Plaintiff gathered his
laptop and files and walked out before Judge entered and started whatever the hearing, and
was confused as to what the hearing was all about. Before exiting, THE PLAINTIFF told
Sherriff THE PLAINTIFF filed yesterday at the Judicial Conduct Bard regarding the
inconsistencies with the In Forma Pauperis status.
All of the preceding events and activities preclude the Plaintiff from continuing his efforts to
amend this civil action, and request that The Honor grant the Plaintiff an unspecified date to
comply with the Court Order to amend this civil action.
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Respectfully submitted,
_________/sjc/_________________
Stanley J. Caterbone, Pro Se Litigant
Dated: June 9, 2006
220 Stone Hill Road
Conestoga, PA 174516
717-431-8184
717-427-1821 facsimile
amgroup01@msn.com
www.amgglobalentertainmentgroup.com
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA

STANLEY J. CATERBONE,
Plaintiff
v.

No. 05-CV-2288

LANCASTER COUNTY PRISON,


MANHEIM TOWNSHIP POLICE DEPARTMENT,
DEMANDED
STONE HARBOR POLICE DEPARTMENT,
AVALON POLICE DEPARTMENT,
COMMONWEALTH NATIONAL BANK (LC. MELLON BANK),
SOUTHERN REGIONAL POLICE DEPARTMENT,
LANCASTER COUNTY SHERIFFS DEPARTMENT,
FULTON BANK
Defendant

JURY TRIAL

ORDER

AND NOW, this 17th - day of August ,2006, upon consideration of Fulton Bank proposal for a
deadline of August 18,2006 to amend this complaint or requests that the instant lawsuit be
dismissed in its entirety, with prejudice, the Honorable Mary A. McLaughlin, it is hereby
ORDERED AND DECREED that the Motion is DENIED.

BY THE COURT:

________________________________
Mary A. McLaughlin, J.
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CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing Reply to Response to
Motion for Ex Parte Meeting has been served this 14th day of August 2006, by first class
mail, Postage prepaid, upon:
Michael Donahue
Harbor Police Administration Building
9508 2nd Avenue
Stone Harbor. NJ 08247
Stephen Basse, Esquire
817 East Landis Avenue
Vineland, NJ 08360
1900 Market Street
Philadelphia, PA 1 9103

Stuart A. Weiss, Esquire


George M. Gowen, 111, Esquire
Cozen O'Connor

Howard L. Kelin, Esquire


Kegel, Kelin, Almy & Grimm
24 North Lime Street
Lancaster, PA 17602

George T. Brubaker, Esquire


Hartman, Underhill & Brubaker, LLP
221 East Chestnut Street
Lancaster, PA 17602

Stephanie Carfley, Esquire


Attorneys For Defendant Fulton Bank
126 East King Street
Lancaster, Pa 17602-2893
(717) 299-5201

Robert W. Hallinger
Appel & Yost Llp
33 North Duke St
Lancaster, Pa 17602

Cheryl L. Kovaly, Esquire


Lavery, Faherty, Young, and Patterson, PC
225 Market Street, Suite 304
P.O. Box 1245
Harrisburg, PA 17108-1245
Respectfully submitted,
__________/sjc/_________________
Stanley J. Caterbone, Pro Se Litigant
Dated: June 9, 2006
220 Stone Hill Road
Conestoga, PA 174516
717-431-8184
717-427-1821 facsimile
amgroup01@msn.com
www.amgglobalentertainmentgroup.com
1:00 PM - 1:30 PM

Filed for Chapter 11 Continuance -- USPS Harrisburg Pike Postoffice,Lancaster

UNITED STATES BANKRUPTCY COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
IN RE
:
:

Chapter 11

Stanley J. Caterbone,
:
NO. 05-23059-TMT
Debtor
:
Advanced Media Group

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August 14, 2006 Continued


Monday
MOTION DEBTOR REQUEST CONTINUANCE
On or about June 29th, 2006, the Debtor testified during a Hearing to Dismiss or
Convert to Chapter 11, in Reading, Pa. The Honorable Judge Fehling instructed the Debtor
to reply to the United States Department of Justice Trustee brief by September 1, 2006. Due
to the following activities, the Debtor is requesting the Court to oblige the Debtor with fair
access to the courts, and to uphold his constitutional rights pertaining to all laws that provide
the same. The following circumstances amount to nothing less than obstruction of justice,
and prevent the Debtor from developing the best possible argument.
In addition, the Debtor must consider the shareholders interest of Advanced Media
Group, (Sheryl Crow, Jennifer Anniston, Pamela Pflumm, and Mary Lynn Dipaolo), as
outlined in the Corporate Bylaws.
The Debtor requests the Court to Continue this case indefinitely. The Debtor will
notify the Court when he can resume full activities in his office without undo influence and
with the necessary resources.
1.
Since the filing of the civil action, no. 05-2288, in the United States District Court for
the Eastern District of Pennsylvania, the Debtor has received numerous criminal citations and
summons issued by the Commonwealth of Pennsylvania. Before that filing (05-2288) in May
of 2005, the Debtor has not had a citation since 1998, which was for a speeding ticket.
Officers of the Southern Regional Police Department filed a majority of those illegal citations.
The Debtor has filed not guilty pleas and intends to prove prosecutorial misconduct, providing
false statements to authorities, discrimination, and obstruction of justice. The Debtor has
filed numerous motions to continue the criminal proceedings to comply with the your Honors
instructions to amend this complaint; all without success. All of the criminal citations were
issued without merit and with prejudice to provide obstacles to the Debtors efforts to continue
his Federal and State civil actions to remedy the causes of actions outlined since 1987, and
unfortunately continuing today. The Debtor had recently dismissed an attorney from the
Lancaster County Public Defenders Office due to inadequate counsel prior to a preliminary
hearing before the Honorable Magisterial District Justice Maynard Hamilton. The Debtor has
filed several complaints in the office of the Judicial Conduct Board of the Commonwealth of
Pennsylvania, in Harrisburg. The Debtor intends to file an action under the False Claims Act
(Whistleblowers Act) pertaining to the allegations of misconduct raised in 1987 to local, state,
and federal authorities.
2.
On or about July 19, 2006, the Debtor filed a Civil Rights Complaint in the Office of
the Attorney General (Mr. Thomas Corbett) of Pennsylvania, which details why the Debtor is
filing as a Pro Se Litigant. The Debtor also has filed numerous briefs in Federal Courts
explaining his position as to why he is filing as a Pro Se Litigant. The last attorney the Debtor
has solicited to provide counsel was Ms. Christina Rainville, of the law firm of Schnader and
Harrison, of Philadelphia, in 1997. Ms. Rainville declined due to the fact that her law firm
barred her from counseling any further cases from persons in Lancaster County. At that time,
Ms. Rainville represented Lisa Michelle Lambert, and Daryl McCrakken. The Debtor is in the
process of having Ms. Rainville sign an affidavit attesting to that account, and has contacted
the Securities and Exchange Commission in Philadelphia to provide contact information.
3.
On or about July 25, 2006, Debtor had the electrical service provided by PPL Electric
Utilities shut-off, which shut down the office of the Debtor. The termination of the Debtors
electrical service left the Debtor without electrical service, phone service and Internet
broadband service. All of the services are powered by and require electricity. On or about
April 25th, 2006, the Debtor had a meeting in the office of LIHEAP, an affiliate of the
Lancaster County Community Action Program with Ms. Floyd, a case worker. During that
meeting, a representative from accepted a payment of $600.00 from LIHEAP and spoke to
Debtor regarding future payments. The Debtor faxed documentation pertaining to the Chapter
11 Bankruptcy petition, case no. 05-23059, for verification of the Debtors bankruptcy petition.
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Monday
The Defendant accepted the documentation and did not make any request for a payment plan
in order to continue electrical service to the Debtor, with the understanding that the Chapter
11 is a reorganization, and the Defendant would ultimately be paid in full. On or about July
3rd, 2006, the Debtor received another 10 Day Shut-Off Notice from the Defendant. On or
about July 14, 2006, the Debtor communicated via facsimile to the Bankruptcy Department of
PPL Electric (484-634-3713) requesting an explanation of why the Shut-Off Notice was sent.
On or about the week of July 17th, 2006, the Defendant notified Ms. Floyd of the situation and
requested her intervention via email. The Defendant had a representative call the Debtor
from the Collections department and left a message on the Defendants Vonage Internet
Voicemail Account. The Debtor returned the call a few days later to remind the Defendant of
the negotiation and agreement on April 25th, 2006 The representative of the Defendant would
adhere to the previous agreement and notified the Debtor that she did not know anything
about the previous agreement, nor would she research the validity of the previous agreement.
The representative demanded that the account be paid in full, and did not entertain any other
plans for payment, which in itself violated the terms and conditions of the Notice To Shut-Off
Service. The Debtor is now without electricity and is further stalled from continuing all
litigation before the Commonwealth of Pennsylvania Common Pleas Court, the United States
District Court of the Eastern District of Pennsylvania, and the United States Bankruptcy Court
for the Eastern District of Pennsylvania. The Debtor is also at further risk to his person,
property, and all assets located at 220 Stone Hill Road, due to the fact that the Debtor has no
emergency phone service. The Debtor filed a civil action No. 06-07188 in the Lancaster
County Court of Common Pleas Commonwealth of Pennsylvania Court of Common Pleas
Lancaster County Civil Division. Judge Georgelis erred in calling for a Hearing to dispute the
Debtors In Forma Pauperis filing, when more than 7 were granted prior, and several by the
same Honorable Georgelis. No reasons for denial were ever defined in the denial orders.
4.
On or about August 4th at approximately 12:30 am, 2006 the Debtor noticed a car
tailing him on the New Danville Pike, enroute from the Alley Kat Bar and Restaurant in
Lancaster. The Debtor put on his left turn signal on to pull into Pine View Dairies, then police
(Southern Regional Police) lights went on after THE DEBTOR started to pull into the parking
lot. the Debtor got out of car and put the Debtor put his hands in air and said "take me in",
the police ordered me back into the van, and THE DEBTOR locked all doors. They (Southern
Regional and West Lampeter) wanted my drivers license, THE DEBTOR said call the State
Police. The Officers would not state why he was pulled over. The Debtor sat for about 10 or
15 minutes and drank some mouthwash and Pepsi. The Debtor told them he did not trust
them, since he tried to surrender. Officer Cramer eventually busted out passenger side
window. One Officer opened the passenger door, and one Officer opened the drivers side
door and pulled the Debtor out and forced him to the ground, handcuffed him and emptied his
pockets and put the contents on the hood of a cruiser. The Debtor kept asking why he was
pulled over after THE DEBTOR turned into parking lot; the Officers would not respond. The
Debtor then asked the Officers to identify themselves, and they said you know who we are.
The put me into cruiser to sit for about 20 or 30 minutes. Present was Cramer, west
Lampeter Eisenhower, and two others. While in the cruiser, Officer Cramer went to the
passenger side door and pulled out a wood hatchet and placed it into a plastic bag. Officer
Cramer must have known it was sitting behind the seat. The Officer said the van would be
towed to Custom Classics. The Officer said something about going to the County, then took
the Debtor to SRPD precinct. The Officers kept stalling and asking basic questions and after
about 30 minutes or so gave the Debtor Breathalyzer; which were .076 and .073. Officer
Eisenhowser gave the Debtor a copy of a tape of the Breathalyzer and said THE DEBTOR
would get something in the mail. Took the Debtor home to 220 Stone Hill Road, Conestoga
at approximately 2:40am.
5.
The following morning the Debtor went to Custom Classics, which is approximately
mile on Stone Hill Road, and the owner said the van was not there, and that there was no call
to Custom Classics during the morning hours for a tow. The Debtor then drove to the
Southern Regional Police Department, and Officer Busser said they called Custom Classics
and van was there; THE DEBTOR said he was lying, and then Officer Busser went into his
you better settle down mode. The Debtor walked out and said he was going to the
Lancaster County District Attorneys Office. In the van were the Debtors legal files, a laptop
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Monday
computer, and printer; all required to continue his legal affairs. The van was finally recovered
from Custom Classics by the Debtor 7 days later on August 11, 2006 at approximately 4:54
pm for a fee of $200.00.
6.
On or about August 6, 2006 at 3:00pm, the Debtor had a hearing before District
Justice Magistrate Simms for a citation of throwing rubbish on the ground filed by a Lancaster
City Police Officer. Before the start of the hearing, Officer Jeurich of the Lancaster City
Police Department wanted to meet in a small conference room about outstanding parking
tickets. The Debtor told Officer Jeurich that The Debtor would not discuss it with him until the
Hearing for that matter in front of a District Magistrate. About 5 minutes later, a constable
called me in the reception room for the start of the Hearing for the rubbish citation. District
Magistrate Simms told me that Officer Jeurich tried to do me a favor in negotiating a
settlement for the parking tickets and wanted $60 cash. The Debtor told District Justice
Simms that I had called the Lancaster City Police Department on 2 occasions trying to get a
meeting with the Parking Department to settle all of my outstanding parking tickets. The
Debtor told him that The Debtor had left a message on their voice mail to call me to schedule
a meeting. District Magistrate Simms asked Officer Jeurich, and he said he did not get any
message. The Debtor tried to explain to Simms that The Debtor had In Forma Pauperis
status, and he became infuriated. (The Debtor had stopped at the office of the District Justice
earlier that day to confirm my hearing time and requested a copy of my file to prepare, and
told them about the IFP status, and Simms told me that he did not know what the In Forma
Pauperis was.) Simms then said that I had to be in bankruptcy, and The Debtor said I am in
Chapter 11 bankruptcy in Reading. He demanded that The Debtor present him with
documentation, and The Debtor told him that my van was stolen the night before and The
Debtor did not have any documents on my possession. The Debtor stood up and told him
The Debtor was going home to get him the documents, and he got mad, and said The Debtor
was going to be cited for disorderly conduct. District Magistrate Simms said the Debtor was
out of order and told Jeurich and Officer (Name not available) to arrest me on Disorderly
conduct. The took me into the small conference room and Officer (Name not available) and
a female Officer Wenger took me to the Lancaster City Police station, she verbally assaulted
me enroute to the precinct, and told the Debtor was a cop Hater; the Debtor replied that The
Debtor only hated corrupt cops. I tried to explain that I was in the middle of a Federal civil
action, and there was no reason to arrest me because District Magistrate Simms was dead
wrong.
7.
On or about August 8, 2006 the Debtor went to the Office of the Judicial Conduct
Review Board to file a complaint against Judge Georgelis of the Lancaster County Court of
Common Please for holding a hearing for the Informa Pauperis Status and holding up the
appeals to Superior Court; when I had many In Forma Pauperis already granted.
8.
On or about August 9, 2006 the Debtor went to Courtroom 5 in the Lancaster County
Courthouse for the In Forma Pauperis Hearing scheduled for 9:00 am. The Sherriff would not
let me sit at table and wanted me to sit in the gallery; he showed me a memo that said all Pro
Se Litigants were not allowed to approach tables until the Judge enters the courtroom. He
then changed his mind. The Debtor went to the table and hooked up his laptop, and Sherriff
Bourne was not too cooperative about supplying a power source. A man sat at the opposite
table, and the Debtor asked who he was and he said he was Shawn Long, rep Fulton Bank,
and the Debtor asked what he was doing there, he said he was the Debtor, The Debtor asked
what proceeding this was, Sheriffs gave me a hard time, The Debtor gathered his laptop and
files and walked out before Judge entered and started whatever the hearing, and was
confused as to what the hearing was all about. Before exiting, THE DEBTOR told Sherriff
THE DEBTOR filed yesterday at the Judicial Conduct Bard regarding the inconsistencies with
the In Forma Pauperis status.
All of the preceding events and activities preclude the Debtor from continuing his efforts to
amend this bankruptcy petition, and request that The Honor grant the Debtor an unspecified
date to comply with the Court Order to amend this civil action.
Dated August 14, 2006
Respectfully submitted,
Advanced Media Group

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August 14, 2006 Continued


Monday
_____________________________
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
(717) 431-8184
CERTIFICATE OF SERVICE
U.S. Bankruptcy Court
Eastern District of Pennsylvania (Reading)
Bankruptcy Petition #: 05-23059-tmt
Stanley J. Caterbone represented by Stanley J. Caterbone PRO SE
220 Stone Hill Road Conestoga, PA 19516
SSN: xxx-xx-0959
DEBTOR REQUEST FOR HEARING TRANSCRIPTS
Dated August 14, 2006
Service To:
Mr. Hugh Ward
Office of the Trustee
U.S. Department of Justice
833 Chestnut Street
Suite 500
Philadelphia, PA 19107
Fax: 215.597.5795
Re: Case No. 05-23059
United States Bankruptcy Court
Eastern District Of Pennsylvania
Robert N. C. Nix. Sr. Federal Building And Courthouse
900 Market Street, Suite 400
Philadelphia, Pa 19107.4299
Certificates of Service were sent by United States 1st Class Mail on July 14, 2006.

By, ________________________________
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
(717) 431-8184

5:00 PM - 5:30 PM

Advanced Media Group

Southern Regional Police Suit Amended Complaint Due

535

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August 15, 2006


Tuesday
11:00 AM - 11:30 AM

APPEAL to the Superior Court of Pennsylvania -- Lancaster County Courthouse

IN THE SUPERIOR COURT OF PENNSYLVANIA


OF LANCASTER COUNTY
CIVIL DIVISION
STANLEY J. CATERBONE
ADVANCED MEDIA GROUP,
Plaintiff
v.
CIVIL ACTION
NO. CI-06-03401

SOUTHERN REGIONAL POLICE


DEPARTMENT, CHIEF JOHN A.
FIORILL, OFFICER BUZZER and
OFFICER FEDOR,
Defendants
NOTICE OF APPEAL
I herby on this 15TH day of August, 2006, APPEAL
to the Superior Court of
Pennsylvania the ORDER of The Honorable Judge Michael A. Georgelis to file an amended
complaint by August 14, 2006.
.
Respectfully submitted,
Dated: August 15, 2006
__/s/_Stanley J. Caterbone__
Stanley J. Caterbone, Pro Se Litigant
220 Stone Hill Road
Conestoga, PA 174516
717-431-8184
717-427-1821 facsimile
amgroup01@msn.com
www.amgglobalentertainmentgroup.com
.
IN THE SUPERIOR COURT OF PENNSYLVANIA
OF LANCASTER COUNTY
CIVIL DIVISION

BRIEF
On or about May 16, 2005, the Plaintiff filed a civil action in the United States District Court
for the Eastern District of Pennsylvania, no. 05-2288, which included a motion to seal the said
complaint. The Southern Regional Police Department was named as a Defendant in the civil
action. One week later, on or about May 23, 2005, the Plaintiff filed a Petition for Chapter 11
Bankruptcy in the United States Bankruptcy Court for the Eastern District of Pennsylvania.
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Tuesday
On or about January 7, 2006, the Plaintiff received an ORDER from the Honorable Judge
Mary A. McLaughlin pursuant to case no. 05-2288 that directed the Plaintiff to effectively
serve all Defendants named in that civil action. The Plaintiff did not serve the Southern
Regional Police Department.
On or about April 4th, 2006, the Plaintiff emailed a copy of a civil action in the Lancaster
County Court of Common Pleas against the Defendants to Mr. Donald Totaro, the Lancaster
County District Attorney. It was approximately 11:00 pm at the time that the email was sent.
Earlier that evening, members of the Southern Regional Police Department were effectively
harassing the Plaintiff at his home, and would not communicate to the Plaintiff that they had
an authorized warrant for arrest or for search. On or about April 5, 2006, the Plaintiff was
enroute to the Lancaster Courthouse to file that civil action against the Southern Regional
Police Department; only to be chased and taken into custody by Sergeant Robert Busser, and
members of the Millersville Boro Police Department, the West Lampeter Police Department,
the University of Millersville Police Department, and other unidentified officers of the law
pursuant to a fraudulent 302 order, later produced and signed by Officer Fedor of the
Southern Regional Police Department.
On or about April 10, 2006, the Plaintiff was discharged pursuant to law. That evening, the
plaintiff mailed the original complaint, in case the Plaintiff was again thwarted from filing. On
or about April 11, 2006, the Plaintiff filed an amended complaint, in person, at the Lancaster
County Courthouse, that was to supersede the complaint mailed the evening before.
On June 29th, 2006, in the Eastern District Bankruptcy Court, in Reading, Pennsylvania,
during a Hearing before the Honorable Judge Fehling, the Plaintiff was instructed to file a
brief to support and defend his position against a motion filed by the United States
Department of Justice Office of Trustees to convert the Defendants Chapter 11 bankruptcy
petition to a Chapter 7, or dismiss the bankruptcy petition altogether. The Plaintiff was given
until September 1, 2006, to file that brief.
On July 13, 2006, the Plaintiff was directed to amend his civil complaint, 05-2288, by Order of
the Honorable Judge Mary A. McLaughlin. The Order was not time stipulated and the
memorandum outlined several causes of actions that the Courts deemed worthy, only to be
time barred. On July 19, 2006, Fulton Bank, a named defendant in that civil action, filed a
motion to have the Honorable Judge Mary A. McLaughlin, sign an Order, to direct the Plaintiff
to amend the Federal Civil action by August 19, 2006. That Order was not signed at the date
of this filing.
Since the filing of the civil action, no. 05-2288, in the United States District Court for the
Eastern District of Pennsylvania, the Plaintiff has received numerous criminal citations and
summons issued by the Commonwealth of Pennsylvania. Before that filing in May of 2005,
the Plaintiff has not had a citation since 1998, which was for a speeding ticket. A majority of
those citations were filed by Officers of the Southern Regional Police Department. The
Plaintiff has filed not guilty pleas and intends to prove prosecutorial misconduct, providing
false statements to authorities, discrimination, and obstruction of justice. The Plaintiff has
filed numerous motions to continue the criminal proceedings, all without success.
On or about July 19, 2006, the Plaintiff filed a Civil Rights Complaint in the Office of the
Attorney General of Pennsylvania, which details why the Plaintiff is filing as a Pro Se Litigant.
The Plaintiff also has filed numerous briefs in Federal Courts explaining his position as to why
he is filing as a Pro Se Litigant. The last attorney the Plaintiff has solicited to provide counsel
was Ms. Christina Rainville, of the law firm of Schnader and Harrison, of Philadelphia, in
1997. Ms. Rainville declined due to the fact that her law firm barred her from counseling any
further cases from persons in Lancaster County. At that time, Ms. Rainville represented Lisa
Michelle Lambert, and Daryl McCrakken. The Plaintiff is in the process of having Ms.
Rainville sign an affidavit attesting to that account.
The Plaintiff had recently dismissed an attorney from the Lancaster County Public Defenders
Office due to inadequate counsel prior to a preliminary hearing before the Honorable
Magisterial District Justice Maynard Hamilton. The charging police officer was Sergeant
Robert Busser, of the Southern Regional Police Department. The Public Defender notified
the Plaintiff that the defense that he planned on raising was that you did not know what you
were doing. On that same day, a hearing for charges filed by Chief John Fiorill of the
Southern Regional Police Department were adjudicated. Those charges were fabricated. The
following activities have supported and bolstered my position that a continuance is required
and deserved by the Plaintiff:
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A)
Since the filing of the civil action, no. 05-2288, in the United States District Court for
the Eastern District of Pennsylvania, the Plaintiff has received numerous criminal citations
and summons issued by the Commonwealth of Pennsylvania. Before that filing (05-2288) in
May of 2005, the Plaintiff has not had a citation since 1998, which was for a speeding ticket.
Officers of the Southern Regional Police Department filed a majority of those illegal citations.
The Plaintiff has filed not guilty pleas and intends to prove prosecutorial misconduct,
providing false statements to authorities, discrimination, and obstruction of justice. The
Plaintiff has filed numerous motions to continue the criminal proceedings to comply with the
your Honors instructions to amend this complaint; all without success. All of the criminal
citations were issued without merit and with prejudice to provide obstacles to the Plaintiffs
efforts to continue his Federal and State civil actions to remedy the causes of actions outlined
since 1987, and unfortunately continuing today. The Plaintiff had recently dismissed an
attorney from the Lancaster County Public Defenders Office due to inadequate counsel prior
to a preliminary hearing before the Honorable Magisterial District Justice Maynard Hamilton.
The Plaintiff has filed several complaints in the office of the Judicial Conduct Board of the
Commonwealth of Pennsylvania, in Harrisburg. The Plaintiff intends to file an action under
the False Claims Act (Whistleblowers Act) pertaining to the allegations of misconduct raised
in 1987 to local, state, and federal authorities.
B) On or about July 19, 2006, the Plaintiff filed a Civil Rights Complaint in the Office of the
Attorney General (Mr. Thomas Corbett) of Pennsylvania, which details why the Plaintiff is
filing as a Pro Se Litigant. The Plaintiff also has filed numerous briefs in Federal Courts
explaining his position as to why he is filing as a Pro Se Litigant. The last attorney the
Plaintiff has solicited to provide counsel was Ms. Christina Rainville, of the law firm of
Schnader and Harrison, of Philadelphia, in 1997. Ms. Rainville declined due to the fact that
her law firm barred her from counseling any further cases from persons in Lancaster County.
At that time, Ms. Rainville represented Lisa Michelle Lambert, and Daryl McCrakken. The
Plaintiff is in the process of having Ms. Rainville sign an affidavit attesting to that account,
and has contacted the Securities and Exchange Commission in Philadelphia to provide
contact information.
C) On or about July 25, 2006, Plaintiff had the electrical service provided by PPL Electric
Utilities shut-off, which shut down the office of the Plaintiff. The termination of the Plaintiffs
electrical service left the Plaintiff without electrical service, phone service and Internet
broadband service. All of the services are powered by and require electricity. On or about
April 25th, 2006, the Plaintiff had a meeting in the office of LIHEAP, an affiliate of the
Lancaster County Community Action Program with Ms. Floyd, a case worker. During that
meeting, a representative from accepted a payment of $600.00 from LIHEAP and spoke to
Plaintiff regarding future payments. The Plaintiff faxed documentation pertaining to the
Chapter 11 Bankruptcy petition, case no. 05-23059, for verification of the Plaintiffs
bankruptcy petition. The Defendant accepted the documentation and did not make any
request for a payment plan in order to continue electrical service to the Plaintiff, with the
understanding that the Chapter 11 is a reorganization, and the Defendant would ultimately be
paid in full. On or about July 3rd, 2006, the Plaintiff received another 10 Day Shut-Off Notice
from the Defendant. On or about July 14, 2006, the Plaintiff communicated via facsimile to
the Bankruptcy Department of PPL Electric (484-634-3713) requesting an explanation of why
the Shut-Off Notice was sent. On or about the week of July 17th, 2006, the Defendant notified
Ms. Floyd of the situation and requested her intervention via email. The Defendant had a
representative call the Plaintiff from the Collections department and left a message on the
Defendants Vonage Internet Voicemail Account. The Plaintiff returned the call a few days
later to remind the Defendant of the negotiation and agreement on April 25th, 2006 The
representative of the Defendant would adhere to the previous agreement and notified the
Plaintiff that she did not know anything about the previous agreement, nor would she
research the validity of the previous agreement. The representative demanded that the
account be paid in full, and did not entertain any other plans for payment, which in itself
violated the terms and conditions of the Notice To Shut-Off Service. The Plaintiff is now
without electricity and is further stalled from continuing all litigation before the Commonwealth
of Pennsylvania Common Pleas Court, the United States District Court of the Eastern District
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August 15, 2006 Continued


Tuesday
of Pennsylvania, and the United States Bankruptcy Court for the Eastern District of
Pennsylvania. The Plaintiff is also at further risk to his person, property, and all assets located
at 220 Stone Hill Road, due to the fact that the Plaintiff has no emergency phone service.
The Plaintiff filed a civil action No. 06-07188 in the Lancaster County Court of Common Pleas
Commonwealth of Pennsylvania Court of Common Pleas Lancaster County Civil Division.
Judge Georgelis erred in calling for a Hearing to dispute the Plaintiffs In Forma Pauperis
filing, when more than 7 were granted prior, and several by the same Honorable Georgelis.
No reasons for denial were ever defined in the denial orders.
D) On or about August 4th at approximately 12:30 am, 2006 the Plaintiff noticed a car tailing
him on the New Danville Pike, enroute from the Alley Kat Bar and Restaurant in Lancaster.
The Plaintiff put on his left turn signal on to pull into Pine View Dairies, then police (Southern
Regional Police) lights went on after THE PLAINTIFF started to pull into the parking lot. the
Plaintiff got out of car and put the Plaintiff put his hands in air and said "take me in", the
police ordered me back into the van, and THE PLAINTIFF locked all doors. They (Southern
Regional and West Lampeter) wanted my drivers license, THE PLAINTIFF said call the State
Police. The Officers would not state why he was pulled over. The Plaintiff sat for about 10 or
15 minutes and drank some mouthwash and Pepsi. The Plaintiff told them he did not trust
them, since he tried to surrender. Officer Cramer eventually busted out passenger side
window. One Officer opened the passenger door, and one Officer opened the drivers side
door and pulled the Plaintiff out and forced him to the ground, handcuffed him and emptied
his pockets and put the contents on the hood of a cruiser. The Plaintiff kept asking why he
was pulled over after THE PLAINTIFF turned into parking lot; the Officers would not respond.
The Plaintiff then asked the Officers to identify themselves, and they said you know who we
are. The put me into cruiser to sit for about 20 or 30 minutes. Present was Cramer, west
Lampeter Eisenhower, and two others. While in the cruiser, Officer Cramer went to the
passenger side door and pulled out a wood hatchet and placed it into a plastic bag. Officer
Cramer must have known it was sitting behind the seat. The Officer said the van would be
towed to Custom Classics. The Officer said something about going to the County, then took
the Plaintiff to SRPD precinct. The Officers kept stalling and asking basic questions and after
about 30 minutes or so gave the Plaintiff Breathalyzer; which were .076 and .073. Officer
Eisenhowser gave the Plaintiff a copy of a tape of the Breathalyzer and said THE PLAINTIFF
would get something in the mail. Took the Plaintiff home to 220 Stone Hill Road, Conestoga
at approximately 2:40am.
E) The following morning the Plaintiff went to Custom Classics, which is approximately
mile on Stone Hill Road, and the owner said the van was not there, and that there was no call
to Custom Classics during the morning hours for a tow. The Plaintiff then drove to the
Southern Regional Police Department, and Officer Busser said they called Custom Classics
and van was there; THE PLAINTIFF said he was lying, and then Officer Busser went into his
you better settle down mode. The Plaintiff walked out and said he was going to the
Lancaster County District Attorneys Office. In the van were the Plaintiffs legal files, a laptop
computer, and printer; all required to continue his legal affairs. The van was finally recovered
from Custom Classics by the Plaintiff 7 days later on August 11, 2006 at approximately 4:54
pm for a fee of $200.00.
F) On or about August 6, 2006 at 3:00pm, the Plaintiff had a hearing before District Justice
Magistrate Simms for a citation of throwing rubbish on the ground filed by a Lancaster City
Police Officer. Before the start of the hearing, Officer Jeurich of the Lancaster City Police
Department wanted to meet in a small conference room about outstanding parking tickets.
The Plaintiff told Officer Jeurich that The Plaintiff would not discuss it with him until the
Hearing for that matter in front of a District Magistrate. About 5 minutes later, a constable
called me in the reception room for the start of the Hearing for the rubbish citation. District
Magistrate Simms told me that Officer Jeurich tried to do me a favor in negotiating a
settlement for the parking tickets and wanted $60 cash. The Plaintiff told District Justice
Simms that I had called the Lancaster City Police Department on 2 occasions trying to get a
meeting with the Parking Department to settle all of my outstanding parking tickets. The
Plaintiff told him that The Plaintiff had left a message on their voice mail to call me to
schedule a meeting. District Magistrate Simms asked Officer Jeurich, and he said he did not
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August 15, 2006 Continued


Tuesday
get any message. The Plaintiff tried to explain to Simms that The Plaintiff had In Forma
Pauperis status, and he became infuriated. (The Plaintiff had stopped at the office of the
District Justice earlier that day to confirm my hearing time and requested a copy of my file to
prepare, and told them about the IFP status, and Simms told me that he did not know what
the In Forma Pauperis was.) Simms then said that I had to be in bankruptcy, and The
Plaintiff said I am in Chapter 11 bankruptcy in Reading. He demanded that The Plaintiff
present him with documentation, and The Plaintiff told him that my van was stolen the night
before and The Plaintiff did not have any documents on my possession. The Plaintiff stood
up and told him The Plaintiff was going home to get him the documents, and he got mad, and
said The Plaintiff was going to be cited for disorderly conduct. District Magistrate Simms said
the Plaintiff was out of order and told Jeurich and Officer (Name not available) to arrest me
on Disorderly conduct. The took me into the small conference room and Officer (Name not
available) and a female Officer Wenger took me to the Lancaster City Police station, she
verbally assaulted me enroute to the precinct, and told the Plaintiff was a cop Hater; the
Plaintiff replied that The Plaintiff only hated corrupt cops. I tried to explain that I was in the
middle of a Federal civil action, and there was no reason to arrest me because District
Magistrate Simms was dead wrong.
G) On or about August 8, 2006 the Plaintiff went to the Office of the Judicial Conduct Review
Board to file a complaint against Judge Georgelis of the Lancaster County Court of Common
Please for holding a hearing for the Informa Pauperis Status and holding up the appeals to
Superior Court; when I had many In Forma Pauperis already granted.
H) On or about August 9, 2006 the Plaintiff went to Courtroom 5 in the Lancaster County
Courthouse for the In Forma Pauperis Hearing scheduled for 9:00 am. The Sherriff would not
let me sit at table and wanted me to sit in the gallery; he showed me a memo that said all Pro
Se Litigants were not allowed to approach tables until the Judge enters the courtroom. He
then changed his mind. The Plaintiff went to the table and hooked up his laptop, and Sherriff
Bourne was not too cooperative about supplying a power source. A man sat at the opposite
table, and the Plaintiff asked who he was and he said he was Shawn Long, rep Fulton Bank,
and the Plaintiff asked what he was doing there, he said he was the Plaintiff, The Plaintiff
asked what proceeding this was, Sheriffs gave me a hard time, The Plaintiff gathered his
laptop and files and walked out before Judge entered and started whatever the hearing, and
was confused as to what the hearing was all about. Before exiting, THE PLAINTIFF told
Sherriff THE PLAINTIFF filed yesterday at the Judicial Conduct Bard regarding the
inconsistencies with the In Forma Pauperis status.
All of the preceding events and activities preclude the Plaintiff from continuing his efforts to
amend this civil action, and request that The Honor grant the Plaintiff an unspecified date to
comply with the Court Order to amend this civil action.
Respectfully submitted,
_________/sjc/_________________
Stanley J. Caterbone, Pro Se Litigant
Dated: June 9, 2006
220 Stone Hill Road
Conestoga, PA 174516
717-431-8184
717-427-1821 facsimile
amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Given the severity of the criminal proceedings that the e Plaintiff must defend, and the
September 1, 2006 deadline for a brief due the Bankruptcy Court; there is no way possible
that the Plaintiff is able to amend his complaint against the Southern Regional Police
Department by August 14, nor is the Plaintiff able to amend the Federal Civil Action 05-2288
by August 19, 2006, as filed by motion by Fulton Bank. The Plaintiff is suggesting that
Advanced Media Group

540

9/25/2006 10:14 AM

August 15, 2006 Continued


Tuesday
collusion may exist to compel the Plaintiff to rush his drafting of the complaints, thus unjustly
enriching all defendants, and unjustly causing reasons for dismissal.
ORDER
It is hereby ordered that the Plaintiff must be given ample and sufficient time to amend the
complaint, and will be given a reasonable amount of time to first address the criminal
proceedings before him. This order is not time barred, and the Plaintiff must notify the Court
when he is free to amend this complaint, or notify the Court if this complaint will be added to
the Federal Civil Action No. 05-2288.
Dated: _____________________

By:__________________________
The Court of Common Pleas

IN THE COURT OF COMMON PLEAS


OF LANCASTER COUNTY, PENNSYLVANIA
CIVIL DIVISION
STANLEY J. CATERBONE
ADVANCED MEDIA GROUP,
Plaintiff
v.
CIVIL DIVISION, CIVIL ACTION
NO. CI-06-03401
SOUTHERN REGIONAL POLICE
DEPARTMENT, CHIEF JOHN A.
FIORILL, OFFICER BUZZER and
OFFICER FEDOR,
Defendants
CERTIFICATE OF SERVICE
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, PA 19516
Appeal to Order of July 14, 2006
Service To:
Attorney for Defendants:
Lavery, Faherty, Young & Patterson
Cheryl L. Kovaly, Esquire
225 Market Street, Suite 304
P.O. Box 1245
Harrisburg, PA 17108-1245
(717) 233-6633 (telephone)
(717) 233-7003 (facsimile)
Certificates of Service were sent by United States 1st Class Mail on August 15, 2006.
By,
Stanley J. Caterbone, Pro Se Litigant
220 Stone Hill Road
Conestoga, PA 174516
Advanced Media Group

541

_/s/_Stanley J. Caterbone__

9/25/2006 10:14 AM

August 15, 2006 Continued


Tuesday
717-431-8184
717-427-1821 facsimile
amgroup01@msn.com
www.amgglobalentertainmentgroup.com
IN FORMA PAUPERIS

1. I am the plaintiff in the above matter and because of my financial condition am unable to
pay the fees and costs of prosecuting or defending the action or proceeding.
2. I am unable to obtain funds from anyone, including my family and associates, to pay the
costs Litigation.
3. 1 represent that the information below relating to my ability to pay the fees and costs is true
and correct:
(a) Name: Stanley J. Caterbone
Address: 220 Stone Hill Road
Social Security Number: 200-46-0959
(b) Employment
Employer:
Address:

If you are presently employed, state


Advanced Media Group
220 Stone Hill Road, Conestoga, PA 17516

Salary or wages per month: $0.00 Currently in Litigation See Notes


Type of work:
If you are presently unemployed. state
Date of last employment:
(c) Other income within the past twelve months Relationship:
Business or profession: Advanced Media Group has no income at this time
See Bankruptcy Petition 05-23059, U.S. District Court For The Eastern District of
Pennsylvania Civil Actions 05-2288 and 06-1538
Other self-employment:
Interest:
Dividends:
Pensions and Annuities:
Social Security benefits:
Support payments:
Disability payments:
Unemployment compensation and supplemental
benefits:
Workman's compensation:
Public assistance: Food Stamps approximately $154.00 per month
Other:
(d)
Other Contributions to household support
(Wife)(Husband) Name: ______________________
If your (wife)(husband) is employed, state
Employer:
Salary or wages per month:
Type of work:
Contributions from children:
Contributions from parents:
Othcr contributions:
Advanced Media Group

542

9/25/2006 10:14 AM

August 15, 2006 Continued


Tuesday
(e)- Property owned:
Cash: $7.00
Checking Account: $-276.00 $-74.00
Savings Account:
Certificate of Deposit
Real estate (including home): $195,000.000
Motor vehicle
Make : Dodge Pick Up , Year 1991
-,
Cost . - $2700.00
Amount Owed $ 0.00
Make : Honda Odyssey , Year 2005
-,
Leased
Cost . - $27,000.00
Amount Owed $ 29,000
Stocks; bonds: 9996,000 shares Advanced Media Group Non Marketable Securities These
shares are subject to litigation in the United States District Court for the Eastern District of
Pennsylvania Civil Action 05-2288, there is no tangible value to the Plaintiff until this case is
completely adjucated
Other:
(f) Debts and obligations
Mortgage: $89,000
Rent:
Loans: Credit Cards - $40,000 Yolanda Caterbone - $30,000
Other: $5,000.00 current accounts payable
(g) Persons dependent upon you for support
(Wife)(Husband) Name:
Children, if any:
Name:
Age: . .
Date of last employment:
Salary or wages per month: Other persons:
Type of work: Name:

4. I understand that I have a continuing obligation to inform the court of improvement in my


financial circumstances which would permit me to pay the costs incurred herein.
5. I verify that the statements made in this affidavit are true and correct. I understand that
false statements herein are made subject to the penalties of 18 Pa:C.S. , relating to unsworn
falsification to authorities.
Date: ________________________

___/sjc/___________________________
Petitioner

(i) The Praecipe required by subdivision (d) shall be substantially in the following form:

PRAECIPE TO PROCEED IN FORMA PAUPERIS

To the Prothonotary:
Kindly allow ,

Advanced Media Group

(Plaintiff) (Defendant), to proceed in forma pauperis.

543

9/25/2006 10:14 AM

August 15, 2006 Continued


Tuesday
1, ________________attorney for the party proceeding in forma pauperis, certify that I
believe the party is unable to pay the costs and that I am providing free legal service to the
party.
(j) If, simultaneous with the commencement of an action or proceeding or the taking of an
appeal, a party has filed a petition for leave to proceed in forma pauperis, the court prior to
acting upon the petition may dismiss the action, proceeding or appeal if the allegations of
poverty is untrue or if it is satisfied that the action proceeding or appeal is frivolous.

________/sjc/_____________________
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184

11:00 AM - 11:30 AM

Visit Congressman Pitts Office -- Lancaster County Courthouse

www.amgglobalentertainmentgroup.com
amgroup01@msn.com
717.731.8184 Phone
717.427-1621 Fax

Stan Caterbone
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516

August 15, 2006


Beth Long
Constituent Service Assistant
Executive Assistant
Congressman Josepth R. Pitts
16th District, Pennsylvania
50 North Duke Street
Lancaster, PA 17602
Dear Congressman Pitts:
Advanced Media Group

544

9/25/2006 10:14 AM

August 15, 2006 Continued


Tuesday
I have been trying to schedule a meeting to discuss issues that fall within your legislative
duties for a few weeks. I would like to meet with you to discuss your official policy on my right
to fair access to you and your office procedures for your constituents.
Could you please correspond via email or letter to schedule a meeting at your earliest
convenience?

Respectfully,

Stan J. Caterbone, CEO


Advanced Media Group
Cc:
3:00 PM - 3:30 PM

file

Hearing 2 Girls Walking -- MDJ Commins

Everyone Lied, Lied, Lied


Quit after 1st witness, found quilty
Commins said she was having a pre arraignment trial for DUI on SRPD on August 8?
Walked out and went to leisure lane driving range.

August 25, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
Advanced Media Group

545

9/25/2006 10:14 AM

August 25, 2006 Continued


Friday
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee Aadrws) (Busin- Address)
,Telephone Number) ITelcohcne Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to determine the abil~tyo f
cdefendant, to pa,y the sentence of fines, costs, and
restltutlon ~mposedo n 7/05/06
The defendant, CATHLBO~, ST-EY J . , is hereby ordered
as follows:
I am financially able to pay the fines, costs, or restitution imposed. ,i,, ~ ; ..
I
I PAYMENT SCHEDULE:
Date Amount (Signature)
Date Amount
TOTAL : $75.00
DATE PPIMTH): 7/05/06 10:38:31 AH

6:00 PM - 9:00 PM

Crosby,Stills,Nash,and Niel Young -- Hershey Stadium

Crosby, Stills, Nash & Young


Type of Event: Concert
Show
Entertainment
Venue: HERSHEYPARK Stadium
Hershey
Event Date(s): 8/25/06
Event Time(s): 8:00 PM
On-Sale Date: 5/8/06
On-Sale Time: 10:00 AM
Admission:
$176.00, $126.00, $76.00, $56.00 and $38.50
Processing fee applies
**8 Ticket Limit**
Parking fee applicable
Event Details: The group will tour with no opening act, and the show will spotlight an
extended set from CSNY as in their previous outings. The show will include their classic work
together as well as favorites from their storied individual careers.
CSNYs almost four-decade long musical connection is one of the most influential and
enduring collaborations in contemporary music. When they first came together as a quartet in
1969, each member brought a pedigree from another formidable bandCrosby from The
Byrds, Nash from The Hollies, and Stills and Young from Buffalo Springfieldand their
synergy together brought them to new heights. CSNYs historic 1969 performance at the
original Woodstock festival caused them to be called the voice of a generation, and the
foursomes 1970 debut Dj Vu hit #1 and delivered timeless classics including Crosbys
Almost Cut My Hair, Stills Carry On, Nashs Teach Your Children, and Youngs
Helpless. Other songs from the group include 4-Way Street, American Dream and
Looking Forward.
Freedom Of Speech 06 is a rare opportunity to see four of rock musics most important
Advanced Media Group

546

9/25/2006 10:14 AM

August 25, 2006 Continued


Friday
figures on the same stage, raising their voices together in song.
For official CSNY tour, ticket and fan club information, visit www.csny.com.
For this concert, the wristband policy will be in effect. Fans are permitted on HERSHEYPARK
property beginning at 7 a.m. on Monday, May 8. Two hours prior to the on-sale, fans are
directed in front of GIANT Center Box Office, where they are issued a numbered wristband.
Wristbands are available for one hour, and at the conclusion of that hour, a selected fan will
randomly select a wristband that will determine the line order. For example: if 1,000
wristbands are issued during that hour and the number 500 is selected, the person wearing
wristband 500 will be the first person in line. Numbers 501 to 1,000 will proceed in line behind
followed by numbers 1 through 499. Once the line is in place, everyone arriving after the
wristbands were issued will be escorted to the end of the numbered line.
Tickets are available at HERSHEYPARK Stadium Box Office, charge by phone at
717-534-3911 or 717-260-2000, all TICKEMASTER locations, ticketmaster.com, or CC.
COM. All show dates, on sale dates, support artists and ticket prices are subject to change
without notice.
Doors open 60-90 minutes prior to show. Times subject to change.
Note: Cameras are not permitted. Audio and video recorders, movie cameras and press
cameras are never permitted except by special permission of the artists management.
HERSHEYPARK Deal: Ride the day away at HERSHEYPARK before you rock and roll all
night! HERSHEYPARK offers a special discounted admission price of just $25.95 to concert
go-ers when purchasing and using a Park ticket on the day of the concert! Just present your
concert ticket at the HERSHEYPARK Front Gate the day of the concert to receive the
discount.
ALL INFORMATION SUBJECT TO CHANGE WITHOUT NOTICE.
Phone: Call 717-534-3911 for more details

Advanced Media Group

547

9/25/2006 10:14 AM

September 30, 2005


Friday
7:00 AM - 8:00 AM

Sheryl CBS Early Show

8:00 AM - 9:00 AM

Yarnell -- yarnell

6:00 PM - 7:00 PM

Yarnell - Seucurity system malfunction -- 220

garage door not on line

October 01, 2005


Saturday
2:45 AM - 3:45 AM

Yarnell Calls 2 times -- 220

Woke and found 2 calls from yarnell seccurity

October 02, 2005


Sunday
4:00 PM - 5:00 PM

Yarnell Security -- System Malfunction - Changed Master Passcode

Dispathcer said someone entered house, aborted alarm at 9:21am and


changed the Master Code. Said she would reset. Code changed from
4115 to 2115.
I told her she had a security breach. Mr. Yarnell called me back and
told me to stop calling his despatchers. Then said it was a
malfunction on the board.

Liar.

October 03, 2005


Monday
8:00 AM - 9:00 AM

Advanced Media Group

tab scans

9/25/2006 10:03 AM

October 03, 2005 Continued


Monday
9:00 AM - 10:00 AM

Property Reclamation

1. 2323 New Danville Pk, Conestoga, PA owned,


2. Useppa Island Townhouse, Captiva, FL downpayment
3. 554 Berkley Road, Stone Harbor, NJ owned, lease to purchae
4. Taquan Glenn Property, Peque, Pa downpayment
5. Navajo Chieften, Turbo Prop, owned
6. Finanacial Management Group, LTD., owned
7. Global Entertainment Group, Ltd., , owned
8. Power Productions I, digital movie, owned
9. FMG Advisory, Ltd., owned
10. Intellectual Property All inclusive.

11:00 AM - 12:00 PM

Call Smokey Roberts Video -- Marietta Aven

Get Master for Project hope

"Numbers Don't Lie"

October 04, 2005


Tuesday
8:00 AM - 9:00 AM

Hempfield Project Hope Video

9:00 AM - 10:00 AM

#2 Wildflower wk 1 - 140,100 -- USA

1:00 PM - 2:00 PM

Judge Mary Mclaughlin -- U.S. Eastern District

Resubmit original complaint of 1998 affidavit via fax

3:00 PM - 4:00 PM

Jessical Alba ELLEN -- ELLEN show

October 05, 2005


Wednesday
7:00 AM - 8:00 AM

Sheryl On The CBS Early Show -- New York

12:00 PM - 1:00 PM

AB

UNITED STATES TRUSTEE'S RESPONSE TO ORDER TO SHOW CAUSE


WHY THE DEBTOR'S BANKRUPTCY CASE SHOULD NOT BE REINSTATED
On September 21, 2005, this Court entered an Order to Show Cause why,
in light of the Debtor-Appellant's Notice of Appeal and Brief, his
bankruptcy case should not be reinstated in the United States
Bankruptcy Court for the Eastern District of Pennsylvania. The United
States Trustee did not move for dismissal below, and is not a party
to this appeal, but in conformity with the Court's order hereby
submits this response stating she does not oppose reinstatement of
Appellant's case.
I.

PROCEDURAL HISTORY

Appellant commenced his bankruptcy case on May 23. 2005. by filing a


voluntary petition under chapter 11of Title 11 of the United States
Code (the "Bankruptcy Code") Bankr. Docket #1. Appellant was not
represented by counsel at the time he filed his Petition, but was pro
se.
Concurrent with his Petition Appellant filed a Statement of Social
Security %umber,r
Advanced Media Group

9/25/2006 10:03 AM

October 05, 2005 Continued


Wednesday
3:00 PM - 4:00 PM

Liz Phair Ellen show

3:30 PM - 6:00 PM

Comcast Cable

October 06, 2005


Thursday
1:00 PM - 2:00 PM

Superior Court of California Filing -- Malibu, California

Filed petitions for estate, and cause of death.

2:00 PM - 11:00 PM

East Lampeter Police Arrest -- Brasserie Restuarant, Lancaster, PA

Filed with California Superior Court for Sammy's Petitions via Willow
Street Post Office. Then headed to Cingular on Lincoln Hwy East,
stopped for lunch at Brasserie. Girl jumped in front of me going in,
SC look alike. 2 girls, noticed SU, with conversation. Stayed to
educate.
One girl, in firs half our, told me to "Get the Fuck OUT"
when I told her about the CIA. Girl next to me was always
delightful, however, she kept running out to her car. Good Cop Bad
Cop strategy? Anyway, the entire bar was baiting me the whole time,
especially about Sheryl and Lance.
Trouble started when a man, balding, light blue shirt, hands folded,
standing behind me yelled at me about the Marines, trying to
intimidate me. I told him, he was just pissed off about the Marine
indicted at the White House for espionage the day before. All hell
broke out, and the bartender lied about the number of drinks I had,
and told me I'm flagged. Demanded I pay for the bill, I said, no,
I'll pay when I'm read

11:00 PM - 12:00 AM

U2 Takes over Conan Show

October 07, 2005


Friday
1:00 PM - 2:00 PM

Paid Conestoga Police Speeding Fine From Sunday

3:00 PM - 4:00 PM

District Justice Savage -- 15 Giest Road

see 1987

8:00 PM - 9:00 PM

New Orleans benefit performance to open Twilight Concert Series -- Binns Room 42 S. Prince St.
Acedamy of Music

October 08, 2005


Saturday
2:00 PM - 3:00 PM

Sheryl at Sunset Blvd in LA Signing

October 10, 2005


Monday
6:00 AM - 7:00 AM

Advanced Media Group

Patio Table Smashed

9/25/2006 10:03 AM

October 10, 2005 Continued


Monday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

10:00 AM - 11:00 AM

Southern Regional Police Visit -- 220

Chief Firell responds and takes report - said he would send


assignment number for insurance.

October 11, 2005


Tuesday
9:00 AM - 10:00 AM

#7 Wildflower wk 2 - 108,500 -- USA

1:00 PM - 2:00 PM

AB Order

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYL.VANIA
IN THE MATTER OF:
STANLEYJ. CATERBONE,
Debtor-Appellant
NO. 05-3689
BKY. NO.05-23059TMT
V.

CIVIL ACTION

United States Trustee

ORDER
AND NOW, thls 5th day of October 2005, it is ORDERED that the abovecaptioned
case is reinstated in the United States Bankruptcy Court for the
Eastern District of Pennsylvania,
provided that Debtor-Appellant comply with the rules and requirement

October 12, 2005


Wednesday
9:00 AM - 10:00 AM

WIP Report to Harleysville A. Mazzuchi

12:00 PM - 1:00 PM

ipod crash

ipod crash at Fremont Street.

October 13, 2005


Thursday
12:00 PM - 1:00 PM

Cingular

4 Customer Service Reps, will provide an audit within 7 days.

October 14, 2005


Friday
11:00 AM - 12:00 PM

Superior Court of CA call

Ann, wanted to know what to do with docs.


messages.
Advanced Media Group

Never called back.

Left 2

9/25/2006 10:03 AM

October 14, 2005 Continued


Friday
8:00 PM - 9:00 PM

Aimee Mann -- House of Blues Anaheim, CA

8:00 PM - 8:30 PM

30 Day Ipod

Circuit City gave Upgrade Comment for New Video to swap, given at
store.

October 15, 2005


Saturday
6:00 AM - 7:00 AM

Iraq Constitution Vote

Est 65%
High Sunni Vote

October 16, 2005


Sunday
2:00 PM - 5:00 PM

Local ACLU chapter meeting -- Friends Meeting House, 110 Tulane Terrace

October 17, 2005


Monday
9:00 AM - 10:00 AM

Harleysville Insurance Letter

Still under investigation, reason for case not closed when due.

3:00 PM - 3:30 PM

Dicodemy -- 100 Highlands Dr.,Suite 307,Lititz, PA 17543

8:00 PM - 9:00 PM

Sheryl at Mo Oct 17 : Theater in Clouds, Portland, OR -- Theater in Clouds, Portland, OR

October 18, 2005


Tuesday
All Day

Briefcase Sticker

9:00 AM - 10:00 AM

#23 Wildflower wk 3 - 58,900 -- USA

9:30 AM - 10:30 AM

Live B II -- 220

exec prod sc
prod sclajf
star mk.......
creat con glb

8:00 PM - 9:00 PM

Advanced Media Group

Aimee Mann -- Tuscon, AZ

9/25/2006 10:03 AM

October 19, 2005


Wednesday
10:00 AM - 11:00 AM

Hugh Ward, Dept of Justice -- Mobile Phone

Do not need DIP account, and do not have to submit anymore docs for
first meeting. Instructions will follow.

1:00 PM - 2:00 PM

Motorola -- Von Phone

will recieve by the 27th. She said they should have given a tracking
no. before returning, only gave ra no. They recived ra on the 13th.

7:30 PM - 9:30 PM

MSU "Hotel Rwanda" -- Reighard Multipurpose Room in the Student Memorial Center

very good crowd and attendance, standing room out in the lobby.

October 20, 2005


Thursday
9:00 AM - 10:00 AM

F&M Lancaster Chamber Expo

9:00 AM - 10:00 AM

Lancaster Chamber Expo -- F&M

1:30 PM - 2:30 PM

forum post -- LCPD

would not give me a private meeting.

8:00 PM - 9:00 PM

told 3 people in lobby.

Canceled Sheryl at Th Oct 20 : Reno Hilton Pavilion, Reno, N -- Reno Hilton Pavilion, Reno, NV

October 21, 2005


Friday
9:00 AM - 10:00 AM

Honda Payment Due

1:00 PM - 2:00 PM

Reagan Library Air Force One dedication

said mad, your right, something not right

8:00 PM - 9:00 PM

Canceled? Sheryl at Sa Oct 24 : The Joint, Las Vegas, N -- The Joint, Las Vegas, NV

8:00 PM - 9:00 PM

Sheryl at Fr Oct 21 : Greek Theater, Berkeley, CA -- Greek Theater, Berkeley, CA

October 22, 2005


Saturday
1:00 PM - 2:00 PM

East Lampeter Citations -- us mail

Docket No. CR-408-05


OTN- L260045-2
Hearing Nov 17, 3:00pm

October 23, 2005


Sunday
8:00 PM - 10:15 PM

Advanced Media Group

Sheryl - Hollywood Bowl -- Hollywood, CA

9/25/2006 10:03 AM

October 24, 2005


Monday
6:00 AM - 7:00 AM

WILMA hits Miami, Ft. Lauderdale

Leak case heats up....

8:00 PM - 9:00 PM

Sheryl at Mo Oct 24 : Copley Symphony Hall, San Diego, CA -- Copley Symphony Hall, San Diego, CA

11:00 PM - 12:00 AM

Excelsior Update to website no link yet

October 25, 2005


Tuesday
7:00 AM - 8:00 AM

Iraq Draft Constitution Adopted

70% for 21% against


voter turnout -

9:00 AM - 10:00 AM

2 Airports Bomb Threats - California -- John Wayne - Long Beach Airports

Evacuaated morning after Sheryl's San Diego Concert

9:00 AM - 10:00 AM

Wildflower wk 4 - 45,900

3:00 PM - 4:00 PM

usps pf

October 26, 2005


Wednesday
8:00 AM - 12:00 AM

Media, Communications & Technology in the Age of the Blogger -- The Union League Club of New York,
38 East 37th Street,

October 27, 2005


Thursday
12:00 AM - 6:00 PM

Media, Communications & Technology in the Age of the Blogger -- The Union League Club of New York,
38 East 37th Street,
Please See Above

1:00 AM - 2:00 AM

gas at 2.29 hess

October 28, 2005


Friday
9:00 AM - 10:00 AM

Meeting with Judge Mary McGlaughlin -- Federal Courthouse, Philadelphia

met with her, and at least 4 staffers

10:00 AM - 11:00 AM

Sheryl on Ellen's Show -- Los Angelos

6:00 PM - 7:00 PM

Sheryl Pllays The Tower In Philly -- Philadelphia, PA

10:00 PM - 11:00 PM

Sheryl at Tower -- Upper Darby, Philadelphia

only saw last 2 songs

Advanced Media Group

9/25/2006 10:03 AM

October 28, 2005 Continued


Friday
October 29, 2005
Saturday
11:30 PM - 12:00 AM

Shery & Lance SNL -- NY

October 30, 2005


Sunday
12:00 AM - 12:30 AM

Shery & Lance SNL -- NY


Please See Above

October 31, 2005


Monday
8:00 PM - 9:00 PM

Sheryl at Mon Oct 31 :Avery Fisher Hall, New York, NY -- Avery Fisher Hall, New York, NY

all done til next year....

November 01, 2005


Tuesday
9:00 AM - 10:00 AM

Wildflower wk 5 - 34.800

10:00 AM - 10:30 AM

District Justice Savage Meeting -- 15 Geist Road, Lancaster

Requested a change of venue. DJ Williams? told me to go to County


Court House to the Court Administrator

11:00 AM - 11:30 AM

Lancaster County Court Administrator -- Lancaster County Courthouse

Will change to another District Justice. Cited the Affidavit and


1987 abuse in Giest Road during arrest by MT Police, Horton and
Reeser.

November 02, 2005


Wednesday
9:00 AM - 10:00 AM

Sheryl release home bside/cr?

November 04, 2005


Friday
11:00 AM - 3:00 PM

called Hugh Ward about appointment -- Philadelphia

Submitals before meeting.


to reschedule.

Resend original submitals.

48 hour notice

was not in, left message to call if we needed to meet, told him by
back was bad and not able to drive, reschedule for mon or tue.

5:00 PM - 6:30 PM

Cheryl Cancels Appt

1st kettering said ok 6:45, then called five minutes later to cancel
with Cheryl. said she was booked.

Advanced Media Group

9/25/2006 10:03 AM

November 04, 2005 Continued


Friday
6:00 PM - 7:00 PM

Sheryl UK London Concert

November 05, 2005


Saturday
2:00 PM - 2:30 PM

Called Matropietro and Dr Pool

called for appt - both said to go to emergency room

November 06, 2005


Sunday
7:00 AM - 10:00 AM

Lancaster Regional Hospital Emergency Room

too much pain. went for pain pills.

did not help

November 07, 2005


Monday
8:00 AM - 9:00 AM

Depost $150 Suburban 2440 dairy rd 898-2267

11:30 AM - 1:00 PM

State of the County11/7/200511:30 AM to 1:00 PM

November 08, 2005


Tuesday
9:00 AM - 10:00 AM

forge

9:00 AM - 10:00 AM

Suburban Propane Install

100 lb 48 gal tank 150.00

9:00 AM - 10:00 AM

Wildflower wk 6 - 31,000

November 14, 2005


Monday
4:00 PM - 5:00 PM

Lancaster County Criminal Prothonetary Office -- Lancaster County Courthouse

2 documents were not served including the notice for hearing and the
notice regarding appeal decision. Clerks were not very helpful, and
kept giving excuses as to why I never received any notices.
Always
quick to take my mone for the 2 copies.
Went to Treasurers office, again very condensending, however always
smileing when taking my 68.16 for an appeal that I was never granted
any access to the courts to present my case or more importantly to
appeal my case, yet I paid them for what?

November 15, 2005


Tuesday
9:00 AM - 10:00 AM

Advanced Media Group

Wildflower wk 7 - 22,300

9/25/2006 10:03 AM

November 15, 2005 Continued


Tuesday
8:00 PM - 9:00 PM

cma awards

November 16, 2005


Wednesday
9:00 PM - 11:00 PM

Johnny Cash Special

November 17, 2005


Thursday
9:00 AM - 10:00 AM

Napster Free Trial Ends - 14.95 -- Online

3:00 PM - 4:00 PM

656-2191District Judge Ron Savage Court Hearing -- 15 Geist Road, Lancaster, PA 17601

8:00 PM - 8:30 PM

Aimee 790706203960 - Keswick Theatre, Glenside, PA

November 18, 2005


Friday
9:00 AM - 9:30 AM

Johnny Cash I Walk the Line Release

November 21, 2005


Monday
9:00 AM - 10:00 AM

Reading Courtroom Creditors Meeting

12:30 PM - 1:00 PM

Creditors Meeting Courtroom 1

November 22, 2005


Tuesday
9:00 AM - 10:00 AM

#66 Wildflower wk 8 - 19,200

1:00 PM - 2:00 PM

Joss Package per Feb 05

8:00 PM - 9:00 PM

ama awards

November 24, 2005


Thursday
9:00 AM - 10:00 AM

Sheryl Plays at Dallas Cowboys For Salvation Army. -- Dallas, TX

November 25, 2005


Friday
3:00 PM - 3:30 PM

Advanced Media Group

Caden Born 5 lbs.

10

9/25/2006 10:03 AM

November 27, 2005


Sunday
4:00 PM - 4:30 PM

Walk the Line-Manor Cinema

November 28, 2005


Monday
All Day

Smart Document solutions 8004640035 -- CC47263/0078719539

www.sdspayonline.com

7:00 AM - 8:00 AM

Sheryl & He Mom at Aquatic Center Mom CBS -- Keneet Pool

9:00 AM - 10:00 AM

Walk the Line/manor cinema

November 29, 2005


Tuesday
9:00 AM - 10:00 AM

# 54 Wildflower wk 9 - 31,400

1:00 PM - 2:00 PM

Chapter 11 fees -- Reading Clerk of Courts

Paid fee schedule. Clerk provide details for Dec 15 creditors


meeting, along with mandatory requirements.
Addendums and
supplimentals to schedules for creditors.

8:00 PM - 9:00 PM

Sheryl & Lance 2020 -- ABC 20/20

November 30, 2005


Wednesday
9:00 AM - 10:00 AM

Lancaster County Commmissioners Meeting -- lancaster County Courthouse

Art Moris gave recomendations for County Solicitor - excellent.


Convention Center debate; this is exactly what happens when everyone,
including LCCA and County Commisioners conduct business via back room
operations. Everyone seems to forget back in 1998 the enthusiasm for
the project and who killed it - Hoteliers and the lawyers.
The current state of affairs and the financial losses to date is
exactly what happens when politics and maybe even corruption drag out
a project for seven years without ever breaking ground - THE LAWYERS
GET RICH! and the Taxpayers pay the price. Enought blame for
everyone on this one.
If you want to play small town politics, then be happy with a small
and stagnent town, otherwise clean up this corruption.

10:00 AM - 11:00 AM

Charlie Smithgall -- City Hall

visited with Dee, she explained the proposal for the Lancaster Press
Building and we discussed the skyline debate and project.

3:00 PM - 4:00 PM

Dr. Newman, Chiropractor -- Leola Family Health Center

Laser Treatment for groin.

Advanced Media Group

11

9/25/2006 10:03 AM

November 30, 2005 Continued


Wednesday
4:00 PM - 5:00 PM

Mazzi's Ralph Mazzochi -- Leola

Stopped to say hi to Ralph.

December 01, 2005


Thursday
11:00 AM - 11:30 AM

Judge Twardowski Hearing Courtroom 1 3rd Floor -- Reading, PA

Fee Schedule
Cancelled, paid on Tuesday

11:00 AM - 11:30 AM

Reading Court Hearing

December 02, 2005


Friday
2:00 AM - 3:00 AM

East Lampeter Addendum for Hearing -- desktop

East Lampeter Citation Addendum to notes:


1.
After walking outside I tried to give my credit card to the
officer to pay for my bar tab, officer refused to take the credit
card so I threw the credit card on the ground. I told the officer
that the bartender tried to charge me for 8 drinks, which was not
true. I asked the bartender to see my tab with my drink totals on
it, she refused. Thats when I told her to call the police. She
inflated my drink total and would not let me see the tab or the
computer print out of my bar tab.
2.
I never yelled obscenities at the police that I can remember,
however, I do remember becoming furious when they did not let me pay
my tab, and especially when they said that I was too drunk to drive
my car home and insisted that I get a taxi home.
3.
I was especially concerned about leaving my car at the bar
because of all of my documents for my court cases that were in the
car. I did not want another incident of people accessing my files,
like what h

2:15 PM - 3:15 PM

Dr. Newman - Laser Treatment -- Leiola Family Health Center

2nd Treatment

December 03, 2005


Saturday
8:00 PM - 9:00 PM

The Players in Vegas -- Mandalay Bay,Las Vegas, NV

WHO: Special appearance by Lance Armstrong and an acoustic set by


Sheryl Crow.
WHERE: Mandalay Bay
WHEN: Saturday, December 3rd
TIME: 7 p.m., General Reception; 8:00 p.m. Dinner, Entertainment,
Live & Silent Auction.
TICKETS: Tickets are $500 each. For more information please call The
Leukemia & Lymphoma Society office at (702) 436-4220

Advanced Media Group

12

9/25/2006 10:03 AM

December 05, 2005


Monday
9:00 AM - 10:00 AM

East Lampeter Hearing -- 424 S. Angle Street,Mount Joy, PA 17552 656-2191

Charges withdrawn - May or may not be reissued by Judge Ruetter.


What a crazy discussion and hearing. Judge gave me the finger in the
end while pointing to PA on a piece of paper. I'll save the
specifics and details for myself on this one.
I DO NOT NEED A LAWYER TO TELL THE TRUTH!
OF COURSE, EVEN THE BEST LAWYERS ARE NEGATED TO INEFFECTIVE COUNSEL
IN CORRUPT COURTROOMS.

12:00 PM - 1:00 PM

Laser Treatments -- Dr. Newman, Leola

December 06, 2005


Tuesday
7:00 AM - 8:00 AM

ebay account hacked -- eBay account

23 ipods listed from my store from Bejing China

8:00 AM - 9:00 AM

ifcc fbi I05120608348825 -- fbi internet fraud unit

ifcc internet fraud account


I05120608348825
sullit

9:00 AM - 10:00 AM

#65 Wildflower wk 10 - 23,600

December 07, 2005


Wednesday
11:00 AM - 12:00 PM

Dr. Black -- WillowStreet

request for records

December 08, 2005


Thursday
8:00 PM - 12:00 AM

fiona - tower -- Phil 69th street

black ice - roads too bad to trave


smiller

4:00 AM - 5:00 AM

IFCC FBI I05120804514805 -- fbi internet fraud unit

I05120804514805
hudasi
You are about to submit a complaint with the IFCC.
Please review your information prior to submission.
A PDF copy of your complaint will be emailed to:
amgroup01@msn.com
IFCC COMPLAINT REFERRAL FORM
The following information was provided by the victim and may be
forwarded
to the appropriate law enforcement or regulatory agencies.
Computer Intrusion/Hacking
Date of Complaint: 12/8/05 4:51:15 AM
Advanced Media Group

13

9/25/2006 10:03 AM

December 08, 2005 Continued


Thursday
Victim Information
Business Name: Advanced Media Group andGlobal Entertainment
Group
Name: Stan J Caterbone
DOB: 07/15/1958
Gender: M
Phone #: 7177995915
Email: amgroup01@msn.com
Street Address: 220 Stone Hill Road
Suite/Apt/Mail Stop:
City: CONESTOGA
Live in city limits: No
County: Lancaster State:PA Zip: 17516
Country USA
Do you have pertinent documents in paper form? No
Please indicate who your local law enforcement agency is:
Southern Regional Police Department
Please List the easiest way and most convenient time to contact you:
phone and

9:15 AM - 10:15 AM

Laser Treatments -- Leola Family Health Clinic

3:00 PM - 4:00 PM

take website down -- omnis

took offline

December 09, 2005


Friday
12:00 AM - 10:30 PM

fiona - tower -- Phil 69th street


Please See Above

11:00 AM - 12:00 PM

ujoe -- cell

again
trouble for myself?

December 12, 2005


Monday
1:00 PM - 2:00 PM

CD/DVD Writer Hacking -- Cyberwarehouse,Lancaster

tried to restore sys.config - did not work


tried to install new cd/dvd writer - did not work
said to reinstall operating system and reinstall all software
was able to write to 3 cd on Iomega drive before it was hacked early
am
cd writer and dvd writer hacked last month

4:00 PM - 5:00 PM

Comcast Cable Disconected? -- dirty rotten scondrels

8:00 PM - 9:00 PM

Elton John Red Piono -- NBC

Advanced Media Group

14

9/25/2006 10:03 AM

December 13, 2005


Tuesday
9:00 AM - 10:00 AM

#67 Wildflower wk 11 - 23,600

9:00 AM - 10:00 AM

LNP The Forgotten Soldier

Forgotten soldier
Hempfield grad was on a top-secret mission in Vietnam; his role and
details of his death were kept from family for many years
By AD CRABLE, New Era Staff Writer
Henry Gerald Gish, Lancaster County's forgotten Vietnam soldier,
saved the lives of his buddies. He was dead at the time. After
nightfall on March 11, 1968, the secret radar base Gish and 18 other
hand-picked Americans were running atop a cliff in the Laos jungle
came under attack by daring North Vietnamese commandos. The illequipped Air Force soldiers, technically Civilians at the time,
scrambled for cover in a hail of bullets and rocket shells. The 25year-old Gish, the kid of the group, and four others piled into a
cave on the mile-high precipice, dubbed Lima Site 85 by the U.S.
government.
Gish was killed early on by a ricocheting bullet. When a grenade was
lobbed into the cave, his body was dragged onto the explosive. Three
airmen survived because of that. But the United States was not
supposed to

December 15, 2005


Thursday
1:00 AM - 2:00 AM

Iraq Votes -- Iraq

Iraq Votes

12:30 PM - 1:30 PM

Meeting of Creditors Reading Courtroom 1 3rd Floor610-320-5255 -- 400 Washington Street,


Reading,pa

341 Meeting with Mr. Ward of Department of Justice, No Creditors


attended. Routine meeting to clarify under oath schedules submitted.
Said to submit all filings to Reading Courts and would only hear from
DOJ if anything additional is needed. Asked when able to file
reorginaztion plan, answered "hard to answer at this time without any
further information from Judge Maclachlin of Eastern Regional
District Courts".

3:00 PM - 4:00 PM

Groff Heating & Cooling -- 220 Maintenace

2nd No Show

December 16, 2005


Friday
12:00 PM - 1:00 PM

Sheryl Live on Howard Stern -- New York city

Great Concert and interview by HS

7:00 PM - 8:00 PM

The Marsch sisters-White House Xmas Singers -- Hollinger House, Willow Valley

Open House and concert

11:00 PM - 11:30 PM

Advanced Media Group

Josh Creative Completed

15

9/25/2006 10:03 AM

December 17, 2005


Saturday
All Day

ibwsc

6:00 AM - 7:00 AM

Judge McLaughlin Hearing Request -- Stone Hill

Stanley J. Caterbone (pro se)


220 Stone Hill Road
Conestoga, PA
17516
United States District Court for the Eastern District of Pennsylvania
Honorable Judge Mary A. McLaughlin
Room # 13614
601 Market Street, Room 2609
Philadelphia, PA 19106-1748
Phone: (215) 597-7704
Fax: (215) 597-6390 600
Re: Case No. 05-2288
Honorable Judge Mary A. McLaughlin,
On Thursday, December 15th, in the United States Bankruptcy Court for
the Eastern District of Pennsylvania, I had my 341 Conference with
Mr. Ward of the Trustees office of the Department of Justice, under
oath. This meeting was recorded by Mr. Ward; the only persons
present were a Security Officer of the courts, myself, and Mr. Ward.
No creditors elected to attend.
During our meeting I was asked to determine the date of time in which
I will be able to submit my reorganization plan to the courts as
prescribed by law. My answer was that I have not had access to the
above aforementioned case, and until I do, it wo

December 19, 2005


Monday
2:00 PM - 3:00 PM

3 rd No Show Groff Heating & Cooling -- 220 Maintenace

3rd No Show

December 20, 2005


Tuesday
9:00 AM - 10:00 AM

#73 Wildflower wk 12 - 23,600

December 21, 2005


Wednesday
9:00 AM - 10:00 AM

Honda Payment Due

10:00 AM - 11:00 AM

Budget Submittals to Reading

Nov - Done

4:00 PM - 5:00 PM

Laser Treatment -- Leola, Pa

5th treatment.

Advanced Media Group

16

9/25/2006 10:03 AM

December 21, 2005 Continued


Wednesday
8:00 PM - 9:00 PM

Christmas Adoption showSheryl Crow, The Goo Goo Dolls, Toni Braxton and Yolanda Adams -- CBS

December 23, 2005


Friday
10:00 PM - 11:00 PM

Men in Black Johny Cash Tribute -- Chamilion Club, Lancaster

December 27, 2005


Tuesday
9:00 AM - 10:00 AM

#72 Wildflower wk 13 -

December 28, 2005


Wednesday
8:00 AM - 8:30 AM

Cyberwarehouse Restore System -- Lancaster, PA

$50 to restore to factory settings


$45 wireless pci card for old HP Laptop

December 31, 2005


Saturday
4:30 AM - 5:30 AM

Depart for Los Cabos SouthWest Fl to Houston 7:20am -- 220 Stone Hill

charged me an extra $25 for luggage that they ended up loosing later
in the day in Houston.

January 01, 2006


Sunday
7:00 AM - 8:00 AM

Continetal Airlines Could not talk to anyone about problem

finally at about 8:30 talked to Continental at ticket counter, no


flights, all booked untlil Wednesday. Put me on stanby for other
flights that day, but said probably would not get on a flight. Kept
arguing about problem with several ticket agents,very abusive and
controlling, kept trying to intimidate me.

January 02, 2006


Monday
5:00 AM - 6:00 AM

Nikki Beach -- Gave me a Suana and Shower for free

7:00 AM - 11:00 PM

Breakfast at Nikki Beach -- Nikke Beach PVR

Stayed on Beach all day, had to buy shorts, tshirt, and sandles.
Went to eat and came back to bar on beach at night, re Iraq, sheryl,
and music.

January 03, 2006


Tuesday
All Day

Wildflower Goes Platinum 1 Million Copies

If you go to Billboard.com and look under the top 200 album charts, Sheryl is like 71 but it list
that her album has gone platinum!!!!! This is great news that people can appreciate her talent
Advanced Media Group

17

9/25/2006 10:03 AM

January 03, 2006 Continued


Tuesday
enough to love an album that isn't commercial in any shape or form. I also noticed that on this
album, much like The Globe Sessions, the best songs on the albums have been written by
Sheryl..."I know why, Perfect lie, wildflower, and Always on your side"!!!!! On the Globe
Sessions Sheryl solely wrote, "The difficult kind, anything but down, riverwide, and a few
others!!!! And, she was nominated for grammys for a few of these songs. Congrats Sheryl on
your 6th platinum (most multiplatinum) album.
7:00 AM - 8:00 AM

Honda Inspections -- Manhiem Pike, Lancaster

9:00 AM - 10:00 AM

Finally got a flight out to Houston -- PVR

again, abuse and intimidation by Continental emplyees, not happy


about me getting a flight. Had to pay additional charge of $100 for
ticket.

January 04, 2006


Wednesday
All Day

Wildflower Goes Platinum 1 Million Copies


Please See Above

January 05, 2006


Thursday
5:15 AM - 6:15 AM

Letter to Editor Drew Anthon -- Lancaster Newspapers

Civility, professional etiquette, and the public discourse for the


Lancaster Convention Center debate. Tonight at the meeting at Farm
and Home, I had approached Mr. Drew Anthon and politely asked him to
discuss and settle my civil complaint. This was the third attempt I
had made in person. Again, he walked away and would not respond.
In April I had filed a civil complaint in the Court of Common Pleas
of Pennsylvania, against Mr. Anthon, and the Eden Resort Inn for
publicly inciting the withholding of the hotel tax by other hoteliers
of Lancaster County, thus deliberately putting at risk the continuing
and the development of the center. Mr. Anthon already had his fair
access to the courts, and lost. And of course, costing the
Convention Center Authority valuable financial resources and time.
Mr. Anthon had defaulted on that complaint, and failed to respond to
the courts when serviced. I must now file a Notice of Default, but
first wanted to give Mr. Anthon the professional c

6:00 AM - 7:00 AM

Complaint number: I06010506177009Password: ludage -- FBI IFCC Complaint

On January 30 I had planned to visit Los Cabos, Mexico, for a


business trip. I had used the Internet to locate the airport (PTO)
for that destination to locate and book the necessary travel
accommodations. PVR (Puerto Vallarta, Mexico) appeared on several
Google searches as that airport. I accordingly booked flight
itinerary and tickets for that trip. On January 31 I booked a flight
from Houston Hobby airport to PVR (Continental Flight 1768, Seat
10D). I had some knowledge of the PTO system, having the national
register for PTOs when I had my plane operating, the Piper Navajo
Chieftain, in 1987. I had logged several flights, as far away as
Atlanta, and booked it for charter to several clients.
PVR was not, in fact, the airport for that destination. I had
consumed an estimated $2,000 in expenses for that trip, and never was
able to travel to Los Cabos as planned. I was denied a car rental
after landing in PVR without any lodging accommodations. I had to
Advanced Media Group

18

9/25/2006 10:03 AM

January 05, 2006 Continued


Thursday
spend 3 eve

8:00 AM - 8:30 AM

Judge Mary McLaughlin, J Order to Serve Notice

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE

v.
LANCASTER COUNTY PRISON, ET EL NO. 05-2288 ORDER
ACTION
---AND NOW, this 5th day of January, 2006 upon

CIVIL

-- consideration of the plaintiff's December 17, 2005


letter to the
Court requesting to amend the complaint and for a
hearing, whereas
the complaint was filed and summons were issued to the
pro se
plaintiff on May 16, 2005, and whereas the plaintiff
has not served
the summons and complaint within 120 days after filinig
the complaint
complaint, as required by rule 4(m) of the Federal
Rules of Civil
procedure, IT IS HEREBY ORDERED that the plaintiff
shall serve the
summons and complaint on or before January 25, 2006. If
the
plaintiff does not do so, the Court will dismiss the
complaint
without prejudice. The Court will consider the
plaintiff's request
to amend the complaint and for a hearing after the
summons and
complaint are served.
IT IS FURTHER ORDERED that the plaintiff's motion to
file the complaint under seal (Docket No. 2) is DENIED.
A document
in a civil action may be filed under seal only if the

action is
brought pursuant to a federal statute that prescribes
the sealing
of the record, or where good cause is established. See
Rule. 5.1.5 (a) (1) of the Local Rules of Civil
Procedure; Pansv v. Borough
Advanced Media Group

19

9/25/2006 10:03 AM

January 05, 2006 Continued


Thursday

of Stroudsburq, 23 F.3d 772, 786 (3d Cir. 1994). The


party seeking
confidentiality may establish good cause by showing
that disclosure
will work a "clearly defined and serious injury" to
that party;
"broad allegations of harm, unsubstantiated by
specific examples or
articulated reasoning," are insufficient. Id. Even
when judged by
the less stringent standards by which courts judge
pro se
pleadings, the plaintiff has not brought suit under
a statute that
requires the sealing of the record, or shown good
cause for doing so. The plaintiff alleges that
several threats have been made on
his life, but does not provide any facts to support
this
allegation, or explain how these alleged threats
relate to his
complaint.
BY THE COURT:
signed Judge Mary
McLaughlin, J.
2:00 PM - 3:00 PM

Complaint number: I06010506177009 -- To Harleysville

via fax, and usps

8:00 PM - 9:00 PM

Complaint number: I06010506177009 -- To Continental

FBI IFCC Complaint via letter

January 06, 2006


Friday
9:00 AM - 10:00 AM

Complaint number: I06010506177009 -- To Contiental

USPS

9:00 AM - 10:00 AM

Complaint number: I06010506177009 -- To Southwest

via USPS

January 07, 2006


Saturday
6:00 PM - 7:00 PM

Advanced Media Group

KIC

20

9/25/2006 10:03 AM

January 09, 2006


Monday
All Day

Judge Twardowski Order of Creditors -- Reading, Pa

610-320-5255 phone
Ext 248 Kathy, Twardowski Clerk
Ext 243 Twardowski
UNITED STATES BANKRUPTCY COURT
EASTERN DISTRICT OF PENNSYLVANIA
In Re: Stanley J. Caterhone
Debtor Case No: 05-23059-tmt
Chapter: 11

ORDER
AND NOW, this, 1/09/2006, it appearing that counsel may have attempted to add
creditors after a notice of the meeting of creditors was served upon all Listed
creditors. but failed to file a certificate of service of the debtor's amended
schedules or amended matrix as required the pvisions of Local Banlauptcy Rule
1009.1, it is hereby ORDERED that if such certifcation of service of amended matrix is
not filed within Twenty (20) days from the date of this Order. the case will be
closed without any such amendment, and the discharge andlor claims of exemption of
the debtor(s) may not be effective as to the added debtor( s ) upon whom notice was
not served.
Thomas M. TwardowsId
Judge

United States Bankmptcy Court

January 11, 2006


Wednesday
8:00 AM - 8:30 AM

Sheryl Itunes Release -- Apple Itunes

5:00 PM - 5:00 PM

Sent Dr. Newhart email

For five years I had a major groin injury that I was not
able to find anyone who could treat it. This included
regular medical MD's, Chiropractors, and even message
therapists. The paid was so sever, that on several
occasions I had to go to the Emergency Room for pain
medication. This summer, the pain literally left me
standing, unable to take another few steps.
Then I saw the article in the Lancaster Newspapers about
Laser Therapy and Dr. Newhart of the Leola Family Health
Clinic.
After the firs visit, the treatment lasted about 2
minutes, and all the Dr. did was place a red light, the
laser, over my groin; I did not seam to notice much
difference. I was already on a heavy dose of pain
medications from my Family physician. After my next 2
minute Laser treatment, I was able to move my leg with a
Advanced Media Group

21

9/25/2006 10:03 AM

January 11, 2006 Continued


Wednesday
range of motion I had not seen if five years. In a few
days I was able to run, after spending much of the last
six months in pain from just walking. All for under
$100.00, and your insurance may even cover that.
In addition, Dr. Newhart, showed me illustrations from a
major medical encyclopedia that accurately defined my
injury, and was able to prescribe in home therapy and
exercises to compliment his Laser therapy. Nothing any
regular MD was able to do, including my brother who has a
family practice in Austin, Texas, and was one of the team
physicians for the Texas Tech football team.
This is not a paid advertisement, just an accurate and
honest account of my experience, that I wanted to share
with those of you that may be interested in trying this
new technology.

Advanced Media Group


Stan Caterbone
amgroup01@msn.com
mailto:
www.amgglobalentertainmentgroup.com
Fax: (717) 427-1621
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
January 12, 2006
Thursday
All Day

Honda Inspection -- Jones Honda, Lancaster, PA

All Day

Received Judge Mary McLaughlin Serve Order of Jan 5 2005

January 13, 2006


Friday
All Day

Lancaster County Redevelopment Authority -- 150 North Queen Street,Suite 110,Lancaster,PA 17603

Meeting with Randy Patterson - Discussed Concerts, said Joe probably does not have any,
was not interested in getting involved, said not his reponsibility, Barnstormers manage facility
and their option. Said we keep going around in circles.
12:00 PM - 9:00 PM

Clipper SnowMagic Opening -- Clipper Stadium, Lancaster, PA

Play snowball! A new twist for stadium


Advanced Media Group

22

9/25/2006 10:03 AM

January 13, 2006 Continued


Friday
Snow-tubing highlights busy offseason.
By DAVID O'CONNOR, New Era Staff Writer
On Friday, it will have been more than 100 days since the last pitch was
thrown at Clipper Magazine Stadium, and more than 100 until the next one.
And the only game in town will be snow, not the summer one.
When they throw open the stadium gates for "Snow Magic Fun Park" on
Friday, the Lancaster Barnstormers' home baseball field will be transformed
into a snow-tubing winter wonderland.
But baseball will still be on the minds of the winter fun's organizers.
You may not recognize the ballpark, but it'll still be a chance to promote the
stadium and the Barnstormers, now preparing for their second season of
baseball in late April, team officials
said..............................................................................
"Any event we have here is potentially expanding our Barnstormer fan base,"
Joe Pinto, the team's general manager, said Tuesday.
And the daily winter snow fest, which starts Friday and runs daily through midMarch, will likely draw "folks who may not necessarily be baseball fans," he
said.
"Even though we have a lot going on at the ballpark, with Snow Magic and
other events, we know we can't forget about our core business, and that's the
baseball side of things.
"It's what we do the most, and it's originally what brought the stadium to
Lancaster -- so we know we can't forget about that," Pinto said.
So even with the daily snow tubing at the North Prince Street ballpark -which, despite temperatures into the 50s or even 60s this week, is being
transformed into a winter playland -- the summer game isn't far from the minds
of Pinto and others with the team.
The Barnstormers, who in late September ended a first season that was
successful beyond what most people could have imagined, are eyeing the first
game of 2006 on Friday, April 28.
They're also eyeing and preparing for things like another "Fan Fest," likely in
early April.
The unofficial kickoff to the season, it will be when individual game tickets go
on sale, would-be singers of the National Anthem at the 72 home games in
Advanced Media Group

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January 13, 2006 Continued


Friday
2006 can try out, and "we'll get the baseball juices flowing again," as the
team's Andy Frankel aptly put it.
It will also be the first time the fest will be held at the North Prince Street
ballpark.
They're also preparing for a new summer of possible concerts, after last
year's Bob Dylan/Willie Nelson and Bryan Adams/Def Leppard shows also did
better than imagined.
"A lot of things are in the works," Pinto promised. "There are some other
potentially major announcements coming.
"We have our hands full, literally, with Snow Magic, and that will take us up to
within a month of the start of the season," he said.
A lot of the part-time employees you saw last summer at ballgames at the
6,000-seat stadium. serving ice cream, soda and beer will be back for "Snow
Magic," now selling hot chocolate and coffee.
The new snow park features snow-making equipment that is putting down a
blanket of snow on snow-tubing ramps that run from the top of the North
Prince Street stadium onto the playing field.
The event opens Friday afternoon at 3, and tickets are now available at the
park, by calling 509-4487 or by visiting www.lancasterbarnstormers.com.
The team also is busy with season tickets for 2006, and Pinto said the
numbers "are where we want to be" three-plus months before the season.
The team last year passed the 4,000 mark in season-ticket packages weeks
before the first game. The Barnstormers eventually drew 378,310 fans for
their 70 games, or an average of 5,404 a game, second-best in its Atlantic
League.
Pinto said things now are on pace with last year, and he said response to a
three-year season-ticket package, in which buyers get their names on their
seats, "has been overwhelming."
"It can be tough getting them back. But I think people are basing their
decision (to buy tickets) on whether or not they had a good experience here ...
we want to attract new people, and people who have been here express their
opinion by coming back.
"We believed in the Lancaster community, that they'd respond to something
like that," Lancaster's first pro baseball team in more than 40 years. And to
keep them coming back, "we realize that we can't just do the same things for
this year," he said.
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January 13, 2006 Continued


Friday
Added Frankel, the team's director of public affairs, "We want to keep people
thinking, 'What are they going to come up with, what promotion are they going
to do next, what's I.M. Fun (the team's high-energy between-inning emcee)
going to think of next?'
"THAT's how it will be successful," Frankel added. "Year Two will be different
in a lot of ways, and we think it will be even better than Year One."
As a sign of the Barnstormers' popularity, the team this week announced that
all 126 of its games in 2006 will be carried on WLPA-AM 1490, which last
year aired all or part of 55 games.
The Barnstormers also are planning two special 11:05 a.m. weekday games,
geared especially for kids, on Wednesday, Aug. 2, and Thursday, Sept. 14.
Clipper Magazine Stadium will be the scene of lots more than Barnstormer
baseball in the months to come, Pinto promised.
The 6,000-seat stadium also in 2006 is to host some Millersville University
baseball games, and the team is talking with everyone from the Lancaster
Lightning semipro football team to the baseball team at Franklin & Marshall
College, which is just up the road on Harrisburg Pike, about having their
games there.
Other events could include lacrosse games and band contests, and the
stadium suites expect to be busy with post-proms, corporate retreats and
similar functions.
There also have been successful "movie nights," with films shown on the
stadium video board.
When the "Snow Magic" fest starts Friday afternoon, it will be the only such
enterprise on the East Coast, and the only ones like it in the U.S. are in
Mobile, Ala., and Oklahoma, team officials have said.
The two slopes will be divided into "family" and "extreme" slopes, and you
have to be taller than 40 inches to try the family slope and 48 inches to go for
the extreme slope. All participants also must sign a waiver before heading
down the slope.
"No matter what age you are, everyone has a little kid in them," Pinto added.

10:00 PM - 10:30 PM

Judge McGlauglin Letter -- Philadelphia, PA

January 13, 2005


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January 13, 2006 Continued


Friday
Stanley J. Caterbone (pro se)
220 Stone Hill Road
Conestoga, PA 17516
United States District Court for the Eastern District of Pennsylvania
(010385574959684)
Honorable Judge Mary A. McLaughlin
Room # 13614
601 Market Street, Room 2609
Philadelphia, PA 19106-1748
Phone: (215) 597-7704
Fax: (215) 597-6390 600
Re: Case No. 05-2288
Honorable Judge Mary A. McLaughlin,
I have received your court order of January 5, and will proceed accordingly.
In addition, I would like to inform you of a recent complaint IFCC Complaint Referral
Report Complaint Number: I06010506177009.
Please see attached.

Respectfully,

Stanley J. Caterbone
Attachment:

IFCC Complaint No.

Cc:

file

Mr. Hugh Ward, Department of Justice, Office of Trustee


(0103855749668136070)
Honorable Judge Thomas M. Twardowski, United States Bankruptcy
Court, Eastern District of Pennsylvania (0103855749521335442)
January 14, 2006
Saturday
All Day

Received Twardowski Order of Jan 9

610-320-5255 phone
Ext 248 Kathy, Twardowski Clerk
Ext 243 Twardowski
Advanced Media Group

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January 14, 2006 Continued


Saturday

UNITED STATES BANKRUPTCY COURT


EASTERN DISTRICT OF PENNSYLVANIA
In Re: Stanley J. Caterhone
Debtor Case No: 05-23059-tmt
Chapter: 11

ORDER
AND NOW, this, 1/09/2006, it appearing that counsel may have attempted to add
creditors after a notice of the meeting of creditors was served upon all Listed
creditors. but failed to file a certificate of service of the debtor's amended
schedules or amended matrix as required the pvisions of Local Banlauptcy Rule
1009.1, it is hereby ORDERED that if such certifcation of service of amended matrix is
not filed within Twenty (20) days from the date of this Order. the case will be
closed without any such amendment, and the discharge andlor claims of exemption of
the debtor(s) may not be effective as to the added debtor( s ) upon whom notice was
not served.
Thomas M. TwardowsId
Judge

United States Bankmptcy Court

January 15, 2006


Sunday
8:00 AM - 8:30 AM

List of Creditors

Creditors
AAA Financial Services
PO BOX 15287 (cr)
Wilmington, DE 19886-5287
Bank of America
PO BOX 53132 (cr)
Phoenix, AZ 85072-3132
Bank of America
PO BOX 1070 (cr)
Newark, NJ 07101-1070
Capital Blue Cross
PO BOX 778990 (cr)
Harrisburg, PA 17177-8990
Chase/Bank One
PO BOX 15153 (cr)
Wilmington, DE 19886-5153
CitiBank Credit Card
PO BOX 183063 (cr)
Columbus, OH 43218-3063
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Sunday
Comcast
PO BOX 3006 (cr)
Southeaster, PA 19398-3006
Discover
file:///A:/AMG%202005/Ipod%20Notes/List%20of%20Creditors%20Re...
2 of 3 12/10/2005 4:25 AM
PO BOX 15251 (cr)
Wilmington, DE 19886-5251
Donegal Mutual Insurance
PO BOX 300 (cr)
Marietta, PA 17547-0300
Fed-Ex
PO BOX 374161 (cr)
Pittsburg, PA 15250-7461
Fulton Mortgage Services
PO BOX 69 (cr)
East Petersburg, PA 17520-0069
Lancaster Regional Medical Center
PO BOX 3434 (cr)
11/21/2005 10:29 AM
Creditor Query https://ecf.paeb.uscourts.gov/cgi-bin/CreditorQry.pl?287191072121238...
Lancaster, PA 17604-3434
PayPal Buyer Credit PO BOX
960080 Orlando, FL 32896-0080 (cr)
Pennsylvania Power & Light Two
North Ninth Street Allentown, PA
18101
(cr)
Sprint PO BOX 1769 Newark, NJ
07101-1769 (cr)
Verizon PO BOX 28000 Lehigh
Valley, PA 18002-8000 (cr)
Wells Fargo Financial Services
1941 Fruitville Pike, Suite 14
Lancaster, PA 17601
(cr)
Yolando Caterbone 1250 Fremont
Street Lancaster, PA 17603
(cr)
file:///A:/AMG%202005/Ipod%20Notes/List%20of%20Creditors%20Re...
3 of 3 12/10/2005 4:25 AM
PACER Service Center
Transaction Receipt
11/21/2005 10:21:58
PACER
Login: am3189 Client
Code:
Description: Creditor
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January 15, 2006 Continued


Sunday
05-23059-tmt
Creditor Type: cr
Billable
Pages: 1 Cost: 0.08
2 of 2 11/21/2005 10:29 AM

January 16, 2006


Monday
8:00 AM - 8:30 AM

Sara Rusdiah <afterglow_1810@yahoo.co.uk> -- London, UK

Sara Rusdiah <afterglow_1810@yahoo.co.uk>


Sent : Monday, January 16, 2006 9:28 AM
To :
Stan Caterbone <amgroup01@msn.com>
Subject :
I know it's been a long time...
since we last e-mailed each other, and you may have forgotten me. My username is
RokrPrincess in Sheryl's fan forum, in case you've forgotten. I'm just wondering, what's your
username (in Sheryl's fan forum), if I may ask?
Best regards,
Sara

7:00 PM - 8:00 PM

Martina Hershey Giant Theatre

January 17, 2006


Tuesday
8:00 AM - 8:30 AM

FBI Field Office -- Philadelphia, PA

Called about computer hacking and intruders

January 18, 2006


Wednesday
All Day

Sheryl & Lance Visit South Africa Unite 4 Health -- Johannesburg, South Africa

Lance Armstrong will be in South Africa this week for a day-long visit. Clinton van der Berg
spoke to the cycling great ahead of his whirlwind tour
LANCE Armstrong arrives in South Africa on Wednesday morning in his private jet. With
rock-star girlfriend Sheryl Crow in tow hell be whisked off to a press conference, followed by
a visit to Soweto. Later theres the possibility of a game-reserve visit and then a charity
banquet in Johannesburg in the evening.
That same night, hell step back on the plane, headed for home in Texas. Hell barely have
time to take a breath. Such are the obligations of superstardom.
Armstrong will be here promoting Unite 4 Health, a social investment campaign initiated by
Adcock- Ingram. As a cancer survivor, its an issue thats close to his heart (his is one third
larger than the average males, incidentally).
Speaking from his ranch in Austin, Armstrong said he had never travelled to Africa because
of the distance, but a gap in his calendar and the opportunity to promote a new healthcare
programme excited him.
His message on Wednesday will focus on healthcare challenges.
The things I can talk about are the things I have lived. It would be irresponsible of me to
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Wednesday
show up and talk about things I dont know about. For example, when I was sick I took it upon
myself to really learn about it, to study it and know this thing as an enemy ... When youre in a
fight like that the best thing you can do is learn your enemy, he says.
We know the demons out there: lack of exercise, smoking, drinking, a stagnant lifestyle. That
stuff is deadly. The more we can encourage people to be active, the better. Sometimes life
throws you these curved balls, whether its cancer, whether its HIV or something else. We
have to be prepared for that.
The two words mentioned most about Armstrong are that he is brash and cocky, but the
impression on a long-distance call is different. For a man who has endured his share of media
hell, he is surprisingly engaging. Anything but brash.
I heard those things a lot when I was 15, 16, he says. I was doing pro sports all around the
world and thats the one thing I heard all the time, about this cocky kid from Texas whos
racing pro.
I think the illness mellowed me a bit. I continued to be confident and straightforward but to be
a person who would taunt someone else, that wouldnt have been my style.
Armstrong enjoys a remarkable public profile after seven wins in the epic Tour de France,
and its a profile elevated by his engagement to Crow last September.
He says its difficult living in the public gaze.
When you enter into a relationship with another public figure it makes it not twice as hard,
but 10 times as hard. Thats difficult but as an individual you have to stay true to yourself and
as a couple you have to stay true to yourselves. You must really try to block out all of that
stuff.
Crow often cycles with him. He sheepishly admits that he sometimes sings with her. Of all her
songs, he likes best one off her latest album.
Its called Letter to God, which probably wont be a hit because its not that type of song. I
think its one of her best songs ever.
The pair havent set a wedding date, but it will be soon, some time in late spring.
Theres no question that Armstrong occupies a zone different from other cyclists. His
recovery from testicular cancer, which spread to his lungs and brain, placed him in a unique
position. His utter dominance of the competition amplified that position.
He credits his illness for making him so demonstrably better than his fellow cyclists.
It clearly changed me as a person, as an athlete and as a citizen. This illness came along
and for lack of a better word it scared the hell out of me. It reminded me that this is the one
and only chance I get and its my responsibility to make the most of it either on the bike or off
the bike.
Armstrongs pain threshold is legendary, but he says he suffers just as much as his opponents
do. He just hides it well.
He explains: While you watch on TV, the coaches that are in the cars are also watching on
TV. Its better they see a neutral, pain-free face on me because what they see on TV they
relay to their riders on their radios.
I dont want to show any emotion, whether Im feeling great or terrible. I just want to keep it
blank, keep them guessing. At the same time thats been probably one of the worst things I
could do ... A cynic would say, Look, this guys suffering his brains out and Armstrong doesnt
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Wednesday
even have his mouth open.
He isnt the machine he is often portrayed as. Hes even been prone to panic. Oh yeah. Not a
dozen times, but theres been three or four serious panics. You can be robotic as much as
you want, but when you do crack, then it is serious crisis mode because youre not ready for
that, nor is anybody on your team, nor are your competitors.
He says a typical days training depends greatly on the time of year and the conditions.
Typically it would be five to six hours a day on the bike, a mix of hills and flats. If we have a
great day in the springtime in Europe you can go out and do whatever you want. There are a
lot of days when its raining and its not conducive to a five- to six-hour ride.
One day stands out from thousands in the saddle. It was at LAlpe dHuez, a gruelling
mountain stage, in 2001.
[That was the best] from a performance standpoint. Even personally, that was my funnest
day. I dont want to brag about it, but we did this bluff thing where they thought I was hurting
and they thought they were really going to stick it to us. In the end we took it to them and
attacked on the final climb.
It was the most rewarding day for me. Also, from a performance standpoint it was two
minutes faster than the second-placed finisher at the top.
Naturally, there are slurs and accusations against Armstrong, the gist of which is that he
relied on drugs, specifically EPO, the red blood cell booster, to crush the opposition.
Last year the French sports daily LEquipe reported that six urine samples Armstrong
provided during his first Tour win in 1999 tested positive, a charge he angrily denies.
Hes learnt to live with the heat.
Youd think [it would go away] when you retire, he says with an air of resignation. Not that
you ever get used to it but I have to say you get quite used to it. Its been going on like this for
seven years, even longer.
The stories and the rumours started pretty much from the day I was diagnosed. I have
become thick-skinned and learnt to deal with it. Now Ill move on and hopefully lead a quieter,
more peaceful life. Lets put it this way I dont lose a lot of sleep over it.
A host of South African sports stars name Armstrong as their hero, so it was apt to ask him
about his heroes.
If I had to pick one, Id say Andre Agassi. Hes been around a long time. His skills are
obviously not what they used to be, but hes making up for that with hard work. He just
continues to plug away. Hes always been a hero of mine.
Armstrong enjoys American football but his favourite sport to watch and play is tennis. He
enjoys the occasional knockabout with Agassi.
I tend to be a fan of tennis players. I see them as hard-working, true athletes, he says.
The cycling may be winding down, but the pace isnt. Armstrong has just shot a movie, You,
Me and Dupree, with Owen Wilson, Michael Douglas and Kate Hudson. Just like his spot in
the movie Dodgeball, Armstrong plays himself.
Hes now in discussions about a movie on his life.
Matt Damon is favoured for the lead role with Sarah Jessica Parker playing the part of Crow.
Advanced Media Group

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9/25/2006 10:03 AM

January 18, 2006 Continued


Wednesday
Matts somebody Ive known for a few years and is willing to play the part, says Armstrong.
He can dig into it on the athletic side and the illness side, but hell also look and ride and feel
like a professional cyclist.
Politics interests Armstrong to a degree he is an adviser to President George W Bush,
sitting on his Cancer Panel
The world interests me only since I think its fascinating and very competitive. But I think Im
more suited only in the sense that I go right down the middle and interact and work with both
sides. When you are in any kind of fight, especially a healthcare fight or a cancer fight, you
lose half of your allies. Id rather be totally neutral to increase funding for cancer.
Aged 34 and with his peak years tapering off, Armstrong is well placed to reflect on his stellar
career and dramatic recovery from illness.
Asked if he would change anything if he could, he says probably not not even the cancer
that almost killed him.
That was a really good thing for me I wouldnt want to do it again, but it was a good thing.
I tend to be a person that just looks at the day were in and the days going forward. Of course
we all make mistakes and we learn from them and we change our ways over the years. But I
cant look at anything that was monumentally wrong and say Ill regret it the rest of my life.
In cycling I wish I would have been able to do more races. I raced predominantly in Europe. I
never raced in Australia, in Africa or in Asia. For a lot of reasons I got stuck in this mould of
racing for just one race and neglected all the other parts of the world.
Might he one day ride in SA, perhaps the 94.7 Challenge or the Cape Argus?
He says its a possibility.
Sure, this is my first time down there. The obvious thing is coming down for a safari but Ive
never done it. Ive been so occupied with cycling but now I kind of have a clean slate. I would
love to get there more often. Its just a helluva long way from here.
Armstrong lives for the little bit of downtime he can manage. He owns a ranch outside Austin.
Its called Milagro, Spanish for miracle. He says it looks exactly like Africa.
I love to stay out there, play out there. I have my kids. They have all their toys, motorcycles,
four-wheelers, kayaks. Its completely quiet with a 40-mile view and the most amazing
sunsets. If I can have my lady and my kids running around and a cold beer and a killer
sunset, then thats been a great day.

9:00 AM - 10:00 AM

PA Housing Finance Hearing -- 211 North Front St, Harrisburg,PA 17105

780-3937
780-4031fax

11:30 PM - 12:00 AM

Notice of Service To Fed Civil Actions -- Harisburg Pike Post Office

Mailed all complaints and Judge Mclaughlin's Notice of Service Package, with the exception
of Southern Regional Police Department

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9/25/2006 10:03 AM

January 19, 2006


Thursday
10:00 AM - 10:30 AM

Joe Pinto Village Clair Bros Email -- AMG


StanThanks for your help on this!!
Joe
-----Original Message----From: Advanced Media Group [mailto:amgroup01@msn.com]
Sent: Thursday, January 19, 2006 10:35 AM
To: joe.pinto@lancasterbarnstormers.com
Subject: Concerts
Joe,
I had a nice conversation with Gene Clair's son, who now runs Clair Bros,
Monday night at the Martina Mcbride concert in Hershey about you and the
Clipper.
It was a great show, and if you can, you should catch her show.
Anyway, I explained to him your problem, and he said he would do what he can
to help get some acts there.
Attached is what Clair Brothers used to do in the old days down at the
Village. The owner of the Village gave this list to me last nite( I have
been trying to get a list for quite awhile), and we said we are going to try
and double that list.
Good Luck with booking some great shows for 2006
Stan.

NATIONAL ACTS THAT HAVE APPEARED AT THE VILLAGE


TESLA
JACKYL
FOGHAT
.38 SPECIAL
Dl0
KIX
TOMMY CONWELL
BLUE OYSTER CULT
BRllTNY FOX
DAVE MASON
THE OUTLAWS
WARREN ZEVON
RICK DERRINGER
MARSHALL TUCKER BAND
ARLO GUTHRIE
HEAVEN'S EDGE
FUEL
QUIET RIOT
AVERAGE WHITE BAND
A FLOCK OF SEAGULLS
THE MAGNIFICENT MEN
AL STEWART
NAZARETH
MARK FARNER OF GRAND FUNK
MlTCH RYDER
THE ROMANTICS
RICHARD THOMPSON
THE HOOTERS
THE GUESS WHO
JOHN KAY & STEPPENWOLF
NEW RIDERS OF THE PURPLE SAGE
ROBERT HAZARD
DAVID BROMBERG
TITO PUENTE
THE VILLAGE PEOPLE
THE TRAMPS
THE CLASSICS IV
THE BROOKLYN BRIDGE
THE DUPREES
surprise performances by
BRUCE SPRINGSTEEN
CYNDl LAUPER
GREG ALLMAN

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9/25/2006 10:03 AM

January 19, 2006 Continued


Thursday
1:00 PM - 1:30 PM

Osama Bin Ladin Tape -- Pakistan

BY HASSAN M. FATTAH, New York Times


DUBAI, United Arab Emirates -- Breaking more than a year's silence, Osama bin Laden warned
Americans in an audiotape released Thursday that al-Qaida was planning more attacks on the United
States, but he offered a "long truce" on undefined terms.
It was unclear when the recording, broadcast by the Arab satellite television station Al-Jazeera, was
made, but the CIA verified its authenticity and said the station was probably right in saying it dated
from early December.
American officials said the release might have been timed to assure his followers bin Laden was alive
and well days after an American bombing of a house in a Pakistani village where senior Qaida
officials were said to have been killed.
In the tape, bin Laden addressed the American people directly, saying of his supporters, "Our situation
is getting better while yours is getting worse."
"My message to you is about the wars in Iraq and Afghanistan and how to end them," he began. "Bush
said, 'It is better to fight them on their land than their fighting us on our land.' I can reply to these
errors by saying that war in Iraq is raging with no letup, and operations in Afghanistan are escalating
in our favor."
He said the lack of Qaida attacks within the United States since Sept. 11 was not related to improved
security, and he pointed to terrorist attacks in Europe as evidence his fighters could penetrate all such
barriers.
As to what attacks Americans can expect, he said, "The operations are under preparation, and you will
see them in your homes the minute they are through, with God's permission."
Vice President Dick Cheney, asked by Fox News about the tape, said it now seemed likely that bin
Laden, whom some had believed dead, was alive. But, the vice president said, bin Laden has clearly
had trouble getting his message out and added, "We don't negotiate with terrorists."
"I think you have to destroy them," he said. "It's the only way to deal with them."
Bin Laden offered the American people a vague truce, saying "both sides can enjoy security and
stability under this truce so we can build Iraq and Afghanistan." Later in the statement he quotes from
a book which calls for an end to what he termed "American interference in the nations of the world."
The statement noted that American opinion polls had shown the nation's desire to withdraw its troops
from Iraq and its feeling that "it is better that we (Americans) don't fight Muslims on their lands and
that they don't fight us on ours."
Regarding an American withdrawal, he said, "There is no shame in this solution, which prevents the
wasting of billions of dollars that have gone to those with influence and merchants of war in America
who have supported Bush's election campaign. ..."
Nearly all of the video and audiotapes attributed to bin Laden in the past have turned out to be
authentic. His voice, this time, sounded somewhat more labored, lacking the energetic quality typical
of earlier recordings. There was also a pronounced echo as if he had been inside a room, in contrast to
previous recordings that seemed to have been made outdoors or in large spaces.
Like some of his other recordings, this one made reference to recent events, including in this case a
report in a British newspaper in November that President Bush wanted to bomb the headquarters of
Al-Jazeera in Qatar, a claim dismissed by both the American and British governments.
The bin Laden broadcast comes just days after the United States launched airstrikes on a Pakistani
village aimed at bin Laden's second in command, Ayman al-Zawahri. Al-Zawahri was not at the site,
but two senior members of al-Qaida and the son-in-law of al-Zawahri were among those killed in the
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Thursday
strikes in remote northeastern Pakistan, Pakistani officials said.
The attacks caused anger across Pakistan, particularly in the autonomous tribal regions, and led the
government to condemn the intrusion.
Some analysts saw the message as a triumph for the leader of al-Qaida. "The fact that he was able to
record the message, deliver it and broadcast is in itself victory for him," said Muhammad Salah, Cairo,
Egypt, bureau chief for the pan-Arab daily Al Hayat and an expert on Islamist groups.
Bin Laden typically chooses his timing and messages carefully to prove a point, Salah said. "He is
playing on the American people's desire to get out of Iraq and the Islamic fundamentalist swamp. And
he is telling Bush that I am winning and I am still there."
White House spokesman Scott McClellan told reporters Bush had been told about the tape on
Thursday morning after an appearance in Virginia. McClellan said American intelligence agencies
were trying to determine whether the tape provided clues about al-Qaida's operations.
"If there is any actionable intelligence, we will act on it," McClellan said.
"We are winning," he said. "Clearly al-Qaida and the terrorists are on the run, and that is why it is
important that we do not let up, and do not stop, until the job is done."
McClellan added: "We continue to act on all fronts to win the war on terrorism, and we will. The
president is fully committed to do everything within his power to prevent attacks and to defeat the
terrorists. We are taking the fight to the enemy, we are working to advance freedom and democracy, to
defeat their evil ideology."
Bin Laden's message said his followers were not afraid of further American attacks because "a
swimmer in the ocean does not fear the rain," but vowed the same treatment for Americans as they
have given others.
"This says the man is still very much in action," said Riad Kahwaji, founder of the Institute for Near
East and Gulf Military Analysis, a security research firm in Dubai. "He's saying the war is still on, and
he's talking about ongoing plans for operations and strikes elsewhere. He's also mentioning recent
events to give authenticity to the recording that it is recent, and he is keeping up to date with
developments."
Bin Laden was last heard from in an audio recording in December 2004, in which he called for Iraqis
to boycott the elections in January 2005. That broadcast prompted Bush to take the unusual step of
responding to the message, declaring that the call by bin Laden made the stakes in the Iraqi elections
clear.
U.S. response
No plan to raise terror alert level
3:00 PM - 3:30 PM

K.L. Shirk dies at age 83 -- lancaster, PA

SUMMARY: This letter is the reply of the Lancaster Bar


Association as to the question of ethics if the law firm of
Shirk, Reist, Wagenseller and Shirk would formally
associate with FMG, Ltd.,. Kenelm L. Shirk, Jr., was business
associate of Stan Caterbone's whom he often would confide
business matters especially the start up of FMG, Ltd.,
.L. Shirk Jr., an influential force in the Lancaster County Republican Party for decades, died
in his home Thursday at age 83.
"He was a class act," said George Alspach of Lancaster, whose father worked with Shirk
inside the county GOP during the 1960s and '70s.
Advanced Media Group

35

9/25/2006 10:03 AM

January 19, 2006 Continued


Thursday
Shirk -- whose first name was Kenelm -- served as county GOP chairman from 1964 to 1971
and was a father figure and mentor to Lancaster Republicans for the rest of his life.
"He would always call me 'Mr. Chairman,' and we would exchange that title," current county
Republican Committee Chairman Dave Dumeyer said. "Whenever he had an issue he
thought was a concern to the party, he never hesitated to pick up the phone and call me."
Several veteran Republicans Thursday credited Shirk with creating the current structure of
the county GOP.
Dick Filling, a former City Councilman and GOP committeeman when Shirk was chairman,
said Shirk helped reform the party from one controlled by a single political boss to a broader
network of area committee chairpeople.
"He was more interested in getting the party a broader base, and he was always looking
toward the future," Filling said.
Aside from Republican politics, Shirk was a World War II veteran and a partner at Shirk Reist
Wagenseller & Mecum law firm, 132 E. Chestnut St.
He is survived by his wife of 60 years, Romaine Sensenig Shirk; sons Kenelm L. Shirk III of
Ephrata and Kraig L. Shirk of Strasburg; and daughter Kathy R.S. Shirk Conick of Lancaster.
Dumeyer said Shirk would take "under his wing" anyone who was elected party chairman.
One of those who received counsel from Shirk was Jim Bednar, county Republican
Committee chairman from 1994 until 1998.
Bednar said that at least once a year he would gather former county GOP chairmen together
for a conference, and Shirk was a leader among them.
"We could always go to him," Bednar said. "He was a great resource for me. I went to him
very often."
GOP Committeeman Ted Darcus called Shirk a "mentor."
"When he gave you good advice, you took it to heart and you knew you would be successful,"
Darcus said.
Shirk also maintained friendships with Democrats, including Lancaster city Mayor Rick Gray.
Gray said Thursday he last saw Shirk at a banquet before New Year's Day.
"He was jabbing me about being a Democrat and (said) I better do a good job and that he
would keep a good eye on me," Gray said. "We had a mutual admiration for each other."
Gray and state Sen. Noah Wenger, a Stevens Republican, said Shirk was a community
leader and attorney who would work for the downtrodden and poor.
"He was always interested in people's rights, civil rights for people regardless of their
background or their race," Wenger said. "He believed in equality; he was early in promoting
equal opportunities for everybody."
Shirk was a 1940 graduate of McCaskey High School and earned a bachelor's degree from
Washington & Lee University in Virginia. He later earned a law degree from Dickinson School
of Law in Carlisle.
From 1943 to 1946, Shirk served in the U.S. Army Air Corps as a navigator. During the
Korean War he was a trial judge advocate and navigator based in Middletown.
Advanced Media Group

36

9/25/2006 10:03 AM

January 19, 2006 Continued


Thursday
Shirk was past president of Lancaster Bar Association, director of Boys Club of Lancaster and
a member of Union Fire Company No. 1 in Lancaster.
Filling said one of the first things he will miss about Shirk will be the yearly telephone calls on
Filling's birthday.
Filling turns 74 next week.
"Ken was a very straightforward person, a very honest person, a devout Christian man," he
said. "His word was his bond."
Shirk first encouraged Filling to run for City Council in the 1960s, Filling said.
"He had discipline in the party," Filling said. "When Ken said something, you kind of listened
to him.
"Not kind of listened to him -- you did listen to him."
Funeral services have not been announced.
Dave Pidgeon's e-mail address is dpidgeon@lnpnews.com.

January 20, 2006


Friday
2:00 PM - 2:30 PM

Twardowski Response to Order of Jan 9 -- USPS Priority Mail


Delivery Confirmation Label Number: 0103 8555 7495 2644 2732

January 20, 2006


Stan J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Honorable Judge Thomas M. Twardowski,
United States Bankruptcy Court, Eastern District of Pennsylvania
400 Washington Street
Reading, PA 19601
Re:

Case No. 05-23059

As per the following Order:


AND NOW,this day of 1/9/06, it appearing that counsel may have attempted to add creditors
after a notice of the meeting was served upon listed creditors, but failed to file a certificate of
service of the debtor's amended schedules or amended matrix as required the provisions of
Local Bankruptcy Rule 1009.1,
it is hereby ORDERED that if such certification of service of amended matrix as required the
provisions of Local Bankruptcy Rule 1009 is not filed within Twenty (20) days from the date of
this Order, the case will be closed without any such amendment, and the discharge and/or
claims of exemption of the debtor(s) may not be effective as to the added d t o r ( s ) upon whom
notice was not served.
Please be advised that on December 15, 2006, after my 341a meeting, I filed a amended Schedules D
Advanced Media Group

37

9/25/2006 10:03 AM

January 20, 2006 Continued


Friday
and G, and the Addendum to Add Creditors and served the following creditors via US prepaid regular
mail. See attached receipt for the $26.00 filing fee for the aforementioned filings. Also attached is the
Certificate of Service that was sent to the listed creditors that were added to the Schedules, as per the
instructions of Mr. Ward, of the Trustees Office of the Department of Justice, and per the Clerk of
Courts on that day.
I am confused as to what creditors you are implying that were omitted from this list.
I have called Kathy, the Clerk assigned to my case, on January 16th, 2006, and left a detailed message
that I needed to know what creditors you were referring to in your order, and what are the deficiencies,
along with my return phone number.
As of this date, I have yet to receive a return call pertaining to the same.
Would the Courts please advise me as to what this Order is refereeing to, and exactly how am I
delinquent in filing the required schedules, or what creditors the Courts are referring to?
I would obtain a copy of the amendments on the Pacer online system, however, my computer is
constantly being corrupted and intruders have made it impossible to log on to the system. I have
recently filed complaints with the IFCC of the FBI, and also called the Philadelphia Office of the FBI
on January 17th, 2006, as well as the Southern Regional Police Department, reporting the same
problems with my computer and online connections that have prevented me from accessing key
Internet sites that are Germaine to my business activities.
If it would satisfy the courts, these records of my complaints are available for your review.
Please advise.

Respectfully,
Stanley J. Caterbone
Pro Se for Stanley J. Caterbone, Debtor

Cc:

3:00 PM - 3:30 PM

United States District Court for the Eastern District of Pennsylvania


Honorable Judge Mary A. McLaughlin

Filed Drew Anthon Default Notice -- Lancaster County Courthouse

Filed Drew Anthon Default Notice and it was stamped in the prothonatarys office at 3:00pm
by Audrey Conners
4:00 PM - 4:30 PM

Served Drew Anthon Default Notice -- Eden Resort, Lancaster, PA

Served Defualt Notice to Diane McMahon, the Secretary in the Marketing Office of the Eden
Resort Inn. She said Drew was out of the office, so she gave the notice to Drew's Secretary
while I was there. I went to have 1 drink at the Lounge Bar at the Eden on my way out.
560-8440.
9:00 PM - 9:30 PM

Meeting with Joe Pinto & Slide at Sno Magic -- Clipper Stadium

Email to Joe on Saturday, January 21, 2006 7:50 am


Thanks for the ride last nite. I thought that was fun and think the SnowMagic Park will be a
BIG Hit. After I left I stopped by at the Alley Cat for a drink, and floated your idea of the Ice
Skating rink with maybe some music and a few firepits to some people, and they loved your
idea.
Advanced Media Group

38

9/25/2006 10:03 AM

January 20, 2006 Continued


Friday
Last Spring I stopped by the DA's office to tell Heidi Ecklin that we should bring back the old
ice skating rink at Buchanan Park. We really had a blast back then with that, and the kids
loved it there. We always had good music on the PA system, and we used to have a fire
burning in an old trash can to keep warm. I used to run it for the Lancaster Rec Commission.
I also talked about your idea of some bands at the Clipper during Happy Hour in the Spring,
and they loved it.
Here is the Record Company, locasted in the Manor Shopping Center that I hear is booking a
lot of great local musicians:
http://www.cirecords.com/cirecords/
Anything I can do to help let me know. I'll definately be by for some more fun.

January 21, 2006


Saturday
12:00 PM - 12:00 PM

Yarnell Security Sys Letter

YARNELL SECURITY SYSTEMS


131 ELMWOOD RD . LANCASTER PA 17602.717-399-3900
January 20,2006
Stan J. Caterbone
220 Stone HillRoad
Conestoga, PA 175 18
Dear Mr. Caterbone,
We recently received a letter in reference to a bmkmptcy case in your
regard.
From this we are assuming that you are not intending to pay off your
balance due and do not want your system to be monitored. We will need to deactivate the
system so that it cannot send us any alarms or troubles to our Central Station.
If we do not hear from you otherwise by February 1,2006 we will deactivate your
system and monitoring will cease.
Sincerely,
RoonaldR . Y ell
General Manager

January 23, 2006


Monday
All Day

Sheryl left kennett

Turns to a bitchy nagging wife.


12:00 PM - 12:00 PM

US Dept of Justice Hugh Ward letter

U.S. Department of Justice


Office of the United States Trustee
Eastern District of Pennsylvania
833 Chestnut Street(215) 597-4411
Suite 500 fax (215) 597-5795
Philadelphia, Pennsylvania 19107
Advanced Media Group

39

9/25/2006 10:03 AM

January 23, 2006 Continued


Monday
January 20,2006
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 19516
Re: Stanley J. Caterbone
Bankruptcy Case No. 05-23059 TMT
Dear Mr. Caterbone:
Please file with Court and the U. S. Trustee, the operating reports for each of the months
of May 23,2005 through December 2005. You must continue to file operating reports during
the
pendency of this case under Chapter 1 1 of the Bankruptcy Code.
If you have any questions, please contact me.
Very truly yours,
bankruptcy Analyst
cc: Dave P. Adams, Trial Attorney
Linda P. Logan, Regional Bankruptcy Analyst

3:00 PM - 3:30 PM

Drew Anthon Appearance Notice -- Lancaster County Courthouse

IN THE COURT OF COMMON PLEAS OF LANCASTER COUNTY, PENNSYLVANIA


CIVLL ACTION - LAW
PROJECT HOPE/ADVANCED
MEDIA GROUP
220 Stone Hill Road
Conestoga, PA 175 16
v. No. CI-0543644
DREW ANTHON,
EDEN RESORT INN AND
CONFERENCE
222 Eden Road
Lancaster, PA 17601
PRAECIPE FOR ENTRY OF APPEARANCE
TO THE PROTHONOTARY:
Please enter the appearance of Richard Solove, Esquire, McNees Wallace & Nurick, LLC
as counsel on behalf of Defendants, Drew Anthon and Eden Resort and Conference, in the
above-captioned action.
Anomey I.D. #I7717
Attorney for Defendants
MCNEES WALLACE & NURICK, LLC
180 Good Drive
Lancaster, PA 17603
(717) 291-1177
Date: jan 23, 2006
IN THE COURT OF COMMON PLEAS OF LANCASTER COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
PROJECT HOPEJADVANCED
MEDIA GROUP
220 Stone Hill Road,
Advanced Media Group

40

9/25/2006 10:03 AM

January 23, 2006 Continued


Monday
Conestoga, PA 17516
V. No. CI-05-03644
DREW ANTHON, EDEN RESORT INN :
AND CONFERENCE
222 Eden Road
Lancaster, PA 17601
CERTIFICATE OF SERVICE
I hereby certify that I have this day served a true and correct copy of the foregoing
document upon the following persons and in the following manner, which service satisfies
the requirements of the Pennsylvania Rules of Civil Procedure.
SERVICE BY FIRST CLASS MAIL:
Stanley Caterbone
Project HopeJAdvanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
Attorney LD. #17717
Attorney for Defendant
MCNEES WALLACE & NURICK, LLC
180 Good Drive
Lancaster, PA 17603
(717) 291-1177

January 24, 2006


Tuesday
8:00 AM - 8:00 AM

DREW ANTHON, EDEN RESORT INN Motion

Richard S. Solove, Esquire


McNEES WALLACE & NURICK LLC
180 Good Drive
Lancaster, PA 17603
(717) 291-1177
Attorney I.D. #I7717
Attorney for Defendants
IN THE COURT OF COMMON PLEAS OF LANCASTER COUNTY, PENNSYLVANIA
CIVIL ACTION
PROJECT HOPE/ADVANCED
MEDIA GROUP
220 Stone Hill Road
Conestoga, PA 1751 6
Plaintiff
Civil Action Law
DREW ANTHON, EDEN RESORT INN j
AND CONFERENCE
222 Eden Road
Lancaster, PA 17601
Case No.CI-05-03644
PRELIMINARY OBJECTIONS OF DEFENDANTS
Advanced Media Group

41

9/25/2006 10:03 AM

January 24, 2006 Continued


Tuesday
Defendants, by and through their attorney, Richard S. Solove, hereby files
Preliminary Objections to the Complaint on the following grounds:
1. Plaintiff's complaint fails to allege facts sufficient to establish a cause of action.
2. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1018 (b), in that the Complaint is not properly captioned.
NO. 05-03644
3. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1018.1, in that the Complaint does not contain a Notice to
Defend.
4. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1019 (a), in that the material facts were not stated in a concise
and summary form.
5. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1021, in that the Complaint does not specify the relief sought,
and does not state whether the amount claimed does or does not exceed the
jurisdictional amount requiring arbitration or referral by local rule.
6. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1024, in that the Complaint is not verified.
7. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1022, in that the Plaintiff's Complaint is not divided into
consecutively numbered paragraphs.
WHEREFORE, Defendants respectfully request that Plaintiff's Complaint be dismissed.
Respectfully submitted,
WNees Wallace & Nurick LLC
RICHARD S. SOLOYE
Attorney I/D No. 1771 7
180 Good Drive
Lancaster, Pennsylvania 17603
(71 7) 291 -1 177
Attorneys for Defendants
CERTIFICATE OF SERVICE
I hereby certify that I am this day serving a copy of the foregoing docurnent(s)
upon the person(s) and in the manner indicated below:
SERVICE BY FIRST CLASS MAIL ADDRESSED AS FOLLOWS:
Stanley Caterbone
Project Hopel Advanced Media Group
220 Stone Hill Road
Conestoga, PA 1751 6
S. SOLOVE
Attorney I/D No. 17717
Attorney for Defendants
Dated: 1/23/2006

8:00 AM - 8:00 AM

Fulton Bank for Relief from the Automatic Stay

Barley Snyder, LLC, Attorneys at Law


126 East King Street
Lancaster, PA 17602-2893
Te1 717.299.5201 Fax 717.291.4660
www.barley.com
Diane E. Ennis, Paralegal
Direct Dial Number: 717.399.2165
E-mail: dennis@barley.com
Advanced Media Group

42

9/25/2006 10:03 AM

January 24, 2006 Continued


Tuesday
January 24,2006
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 195 16
Re: Stanley J. Caterbone
Chapter 11 Case No. 05-23059-TMT
Dear Mr. Caterbone:
Enclosed please find the Motion of Fulton Bank for Relief from the Automatic Stay of
Section 362 of the Bankruptcy Code, together with the Notice of Motion, Response Deadline and
Hearing Date, Proposed Order and Certification of Service and Notice being filed in Bankruptcy
Court.
Diane E. Ennis
Paralegal
dee: 1547581-1 .DOC
Enclosures
cc: Ofice of the U.S. Trustee
Robert W. St. Clair- Fulton Bank
Lancaster . York Harrisburg. Reading B e r w . Hanover . Chambersburg

Local Bankruptcy Form 9014-3


UNITED STATES BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
IN RE:
Chapter 11
Stanley 3. Caterbone,
NO. 05-23059-TMT
Debtor
NOTICE OF MOTION. RESPONSE DEADLINE
AND HEARING DATE
Fulton Bank has filed a Motion for Relief from Automatic Stay Pursuant to 11 U.S.C.
Section 362 and Bankruptcy Rule 9014 in order to exercise its state law rights and remedies as
concerns its mortgage lien against Debtor's premises located at 220 Stone Hill Road, Conestoga.
Lancaster County, Pennsylvania.
Your rights mav be affected. You should read these papers carefully and discuss
them with your attorney, if you have one in this bankruptcy case. (If you do not have an
attorney, you may wish to consult an attorney.)
1. If you do not want the court to grant the relief sought in the motion or if you want the
court to consider your views on the motion, then on or before February 8, 2006 you or your
attorney must do & of the following:
(a) File an answer explaining your position at
The Madison Building
400 Washington Street, 3" Floor
Reading, PA 19601
If you mail your answer to the bankruptcy clerk's office for filing, you must mail; it early
enough so that it will be received on or before the date stated above; and
(b) mail a copy to the movant's attorney:
Shawn M. Long, Esquire
Barley Snydcr, LLC
126 East King Street
Lancaster, PA 17602
Advanced Media Group

43

9/25/2006 10:03 AM

January 24, 2006 Continued


Tuesday
Lancaster, PA 17602
Telephone: (717) 399-1512
Facsimile: (717) 291-4660
2. If you or your attorney do not take the steps described in paragraphs l(a) and l(b)
above and attend the hearing, the court may enter an order granting the relief requested in the
motion.
3. A hearing on the motion is scheduled to be held before the Honorable Thomas M.
Twardowski

on February 21, 2006, at 9;30 a.m. in Courtroom 1, United States Bankruptcy


Court, 400 Washington Street, Reading, PA 19603.
4. If a copy of the motion is not enclosed, a copy of the motion will be provided to
you if you request a copy rom the attorney named in paragraph 10).
5. You may contact the Bankruptcy Clerk's office at 610-320-5255 to find out
whether the hearing has been canceled because no one filed an answer.
Date: January 24,2006

January 25, 2006


Wednesday
All Day

Due Judge McLaughlin Order Due Date -- Philadelphia,Pa

January 26, 2006


Thursday
6:00 PM - 11:00 PM

Sheryl Concert Detroit -- Fox Theater, Detroit

26th
27th
28th
29th

Jan
Jan
Jan
Jan

Fox Theater, Detroit - On Sale Dec 9


Riverside Theater Milwaukee - On Sale Dec 12
Auditorium Theater Chicago - On Sale Dec 10
Ryman Auditorium, Nashville - On Sale Dec 10

January 27, 2006


Friday
5:00 PM - 5:00 PM

Due Twardowski Order Due -- Reading, PA

610-320-5255 phone
Ext 248 Kathy, Twardowski Clerk
Ext 243 Twardowski
UNITED STATES BANKRUPTCY COURT
EASTERN DISTRICT OF PENNSYLVANIA
In Re: Stanley J. Caterhone
Debtor Case No: 05-23059-tmt
Chapter: 11

ORDER
AND NOW, this, 1/09/2006, it appearing that counsel may have attempted to add
creditors after a notice of the meeting of creditors was served upon all Listed
creditors. but failed to file a certificate of service of the debtor's amended
schedules or amended matrix as required the pvisions of Local Banlauptcy Rule
1009.1, it is hereby ORDERED that if such certifcation of service of amended matrix is
Advanced Media Group

44

9/25/2006 10:03 AM

January 27, 2006 Continued


Friday
not filed within Twenty (20) days from the date of this Order. the case will be
closed without any such amendment, and the discharge andlor claims of exemption of
the debtor(s) may not be effective as to the added debtor( s ) upon whom notice was
not served.
Thomas M. TwardowsId

Judge

6:00 PM - 11:00 PM

United States Bankmptcy Court

Sheryl Jan Riverside Theater Milwaukee -- Jan Riverside Theater Milwaukee

26th
27th
28th
29th

Jan
Jan
Jan
Jan

Fox Theater, Detroit - On Sale Dec 9


Riverside Theater Milwaukee - On Sale Dec 12
Auditorium Theater Chicago - On Sale Dec 10
Ryman Auditorium, Nashville - On Sale Dec 10

January 28, 2006


Saturday
6:00 PM - 11:00 PM

Sheryl Auditorium Theater Chicago -- Auditorium Theater Chicago

26th
27th
28th
29th

Jan
Jan
Jan
Jan

Fox Theater, Detroit - On Sale Dec 9


Riverside Theater Milwaukee - On Sale Dec 12
Auditorium Theater Chicago - On Sale Dec 10
Ryman Auditorium, Nashville - On Sale Dec 10

January 30, 2006


Monday
All Day

psdms -- 220 Stone Hill Road, Conestoga, PA 17516

Mail env
6:00 PM - 11:00 PM

Sheryl Ryman Auditorium, Nashville -- Ryman Auditorium, Nashville

February 01, 2006


Wednesday
8:00 AM - 12:00 PM

ANSWER TO FULTON BANK REQUEST FOR RELIEF FROM AUTOMATIC STAY

Local Bankruptcy Form 9014-3


UNITED STATES BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA

IN RE

:
:

Chapter 11

NO. 05-23059-

Stanley J. Caterbone,
TMT
Debtor

Advanced Media Group

45

9/25/2006 10:03 AM

February 01, 2006 Continued


Wednesday
NOTICE OF MOTION ANSWER TO FULTON BANK REQUEST
FOR RELIEF FROM AUTOMATIC STAY

On January 24, 2006 Fulton Bank filed a Motion for Relief from
Automatic Stay Pursuant to 11 U.S.C. Section 362 and Bankruptcy Rule 9014 in
order to exercise its state law rights and remedies as concerns its mortgage lien
against Debtor's premises located at 220 Stone Hill Road, Conestoga. Lancaster
County, Pennsylvania.
The following is my answer requesting the courts to deny the Motion for Relief
from Automatic Stay due to many circumstances surrounding this mortgage,
specifically the civil actions currently before the In The United States District Court
For The Eastern District Of Pennsylvania in STANLEY J. CATERBONE Plaintiff,
VS. FULTON BANK, Civil Action No: 05-2288, under the jurisdiction of the
Honorable Mary A. McLaughlin.

1. Due to circumstances beyond my control, I and the Advanced Media Group


was erroneously denied fair access to the courts dating back as far as 1987
to file civil complaints against FULTON BANK. The nature of those
complaints involve the following:
a.

b.

c.

d.

Advanced Media Group

1987 - Libel and slander pertaining to a FULTON BANK


employee (Jill Carson), against my person while a customer of
FULTON BANK that contributed to my demise and the demise
of my company and its subsidiaries Financial Management
Group, Ltd. A check for insurance for my plain that was posted
against my account at FULTON Bank in 1987, was intentionally
and maliciously used for a reason for the wrongful repossession
by the then Commonwealth Bank, resulting in several violations
of lender liability against both FULTON BANK and
COMMONWEALTH BANK(MELLON BANK), some 30 days
before my first payment on the loan with COMMONWEALTH
BANK.
1990 - Diversion of funds regarding a check that was
erroneously posted against my account in 1991, that involved
Mr. Hostettler, the branch manager of the FULTON BANK
branch at the Greenfield Corporate Center.
1995 - The diversion of funds and extortion of funds by
FULTON BANK from the late Thomas P. Caterbone, my
brother, in 1995, from his company Country Funding, which was
a primary circumstance surrounding his suicide in 1996.
2006 - The undo influence of the FULTON BANK account for
Toms Project Hope account that I was the sole signatory and
depositor of funds in 2005 by a FULTON BANK employee or
employees.
46

9/25/2006 10:03 AM

February 01, 2006 Continued


Wednesday
The following is a letter that I had sent to Ms. Christina Rainville, attorney of
the law firm of Schnader Harrison Segal & Lewis, of Philadelphia, to whom I had
requested assistance in gaining fair access to the courts pertaining to the above
allegations of wrongdoing against FULTON BANK, and six (6) other defendants, in
November of 1997. Ms. Rainville had acknowledged that letter and had later told me
that the law firm of Schnader Harrison Segal & Lewis was preventing her from
representing any more clients from Lancaster County other than Lisa Michelle Lambert
and Daryl McCrakken.
The purpose of presenting this letter to the courts is to provide you with
sufficient background information in making a lawful determination.
It is my opinion that the request for Motion for Relief from Automatic
Stay Pursuant to 11 U.S.C. Section 362 and Bankruptcy Rule 9014, from
FULTON BANK, be denied until the Civil Action No: 05-2288 be lawfully
adjudicated by The United States District Court For The Eastern District Of
Pennsylvania.

Any questions pertaining to the above may be addressed to the following:


Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Facsimile:
717-427-1621
Phone:
717-799-5915
Email:
amgroup01@msn.com

Dated:

February 1, 2006

COPY OF LETTER OF NOVEMBER 23, 1997


January 23, 1997
Mr. Stan J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Ms. Christina Rainville
1300 Market Street
Philadelphia, PA 19103
RE:
Advanced Media Group

Previously discussed matters.


47

9/25/2006 10:03 AM

February 01, 2006 Continued


Wednesday
Dear Ms. Rainville:
I thank you for your help regarding the enclosed materials. As I have discussed
previously, I would appreciate your legal opinion as to the extent of my legal rights
concerning the following circumstances..
I will attempt to describe the many legal issues that are contained herein, and I have
provided documentation substantiating my claims. Due to the complexity and
sensitive nature of these issues, I have tried to reduce the paper to its simplest form,
while also protecting the integrity of my claims. I have also provided authentic
conversations, which I recorded merely in my defense as an accurate account of the
activities surrounding my sudden demise. I possess many more forms of evidence,
including over 9000 paper images that I had microfilmed in November of 1987.
I realize that you offered to review only a few documents, however it was necessary to
formulate the documents in a way that was sufficient to challenge the legal issues that
I am questioning. Documents 1 & 2 would provide a glimpse into the legal merits of
my claims. The following is an attempt to provide you with a brief description of the
activities and actions contained in these matters. Please understand that I have not
included any related activities that continued during 1991, especially concerning ISC
and the Central Intelligence Agency (CIA).
The following is a legend of the conversations contained on the Compact Disc:
2.

09/29/87 - A segment of the interview with the PA Securities and Exchange


Commission, Agent Howard Eisler, Attorney Robert Beyer, Client Millard
Johnson, and myself, present.
3.
02/24/88 - Meeting with Attorney Sandra Gray, of San Diego, California.
4.
07/10/87 - Phone conversation with Chuck Smith, President of Lancaster
Aviation.
5.
07/07/87 - Phone conversation with Attorney David Drubner.
6.
07/21/87 - Meeting in Hollywood California with the owner of Gamillion Film
Studios, who was seeking my help to secure financing. Also present is Marcia
Silen, a producer of the Digital Movie.
7.
10/27/87 - Telephone conversation with Pennsylvania Securities & Exchange
Commission Agent, Howard Eisler.
8.
10/26/87 - Detective Boden, of the Pennsylvania Attorney Generals office.
9.
02/24/97 - ABC News 20/20 segment on International Signal & Control, and
Arms to Iraq.
Please forgive the form of the following narrative, however it is especially draining to
prepare these materials. This is the first time that I have attempted this task, with the
exception of various efforts which were intended to merely defend myself, my person,
my character, my reputation, or my assets. You will eventually discover that the
question of my mental condition is of grave importance to my perpetrators. For the
record, I do suffer from Bi Polar Mood Disorder, however, no where during all of
these activities can anyone prove that I have acted irrationally or insane, the truth to
my actions are well recorded, however the massive attack on my mental condition is

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proven to be centered around lies and hearsay.
Any help pertaining to these matters, no matter how small, will be greatly appreciated.
Please invoice me accordingly.
The Background.
Ten years ago I had built a financial firm, Financial Management Group, Ltd.,
(FMG). In 1985 I had conducted a marketing study that included interviewing more
than 5 local physicians, all of substantial wealth or income. I had merely described
my strategic plan for FMG, and they gave me feedback, all positive and enthusiastic.
In 1986 I incorporated 11 different corporations, all under the ownership of FMG.
To attract local talent, FMG was owned by not only the 3 principals, but stock was
offered to every professional in the organization, including satellite offices. I had
raised approximately $400,000 of capital to start the company, and I did it in
compliance of the PA SEC Rule 144 Regulation D public offering.
In one year, we had phenomenal growth. By June of 1987 we had invested
approximately $50 million of client funds. We provided relatively most of the
financial services necessary during ones lifetime. On the streets our organization
was worth approximately $4 million, which is strictly correlated to the commissions
paid out. We had at least 10 satellite offices, and covered 5 states. We also owned an
interest in the PSG Broker Dealer, which was worth another $1.5 million.
I was Executive Vice President and Secretary of FMG. I was President and Secretary
of FMG Advisory, which was our Registered Investment Advisor (RIA). I had been
pushing through the approval process with the Pennsylvania Securities and Exchange
Commission for more than 6 months, concerning the RIA.
In early 1987 I had developed a mortgage banking operation. I had negotiated with a
large Southwestern mortgage firm to provide mortgages for Eastern Pennsylvania.
Our lending capacity ranged from a minimum of $3 million and as high as $100
million. Even more important was the fact that this lending capacity was very and
sometimes more competitive than other area lending institutions, I had shortly
developed a very large list of clients for whom I was trying to secure financing for
various types of projects.
Combining the mortgage banking services with the ability of FMG to secure financing
through equity investment programs, I was very attractive the real estate community
that had deals to finance. My second cousin, in Houston, TX, provided me with this
opportunity. In the mater of 2 months, we had met not only with several large local
developers, I had also begun business with companies located in more than 5 other
states. I had provided a commitment letter for $5 million mortgage for Norris Boyd,
of Boyd Wilson, for the Village of Old Hickory. Norris Boyd had personally informed
me that I had a better deal than the Commonwealth National Bank (who will later
illegally reposes my airplane), where the loan was currently secured.
In February of 1987, because of our ability to raise capital, Scott Robertson requested
that I assist him in visiting Power Station Studio, who was trying to secure financing
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for a movie. Reluctantly, due to the risk involved with motion picture investments, I
went to Power Station Studios, in Manhattan. Tony Bongiovi built Power Station
Studios to be among of an elite few. The names of stars that recorded there was very
impressive. Tony also produced the sound track for Star Wars, which was very
profitable, and still is. Another project, although controversial, was his cousin, Jon
Bon Jovi. Power Station is where Jon Bon Jovi began his amazing career, under early
development of Tony, his cousin. Contractual disputes ruined the relationship, which
put large sums of money to risk. Jon Bon Jovi is one of the leading all time
musicians, in terms of revenues.
Tony described his project, which was not merely just a movie. Tony wanted to
develop the first Digital Movie. Given my thirst for technology, along with a
demonstrated knowledge, I became infatuated with the concept, the concept of
providing the highest quality of sound, along with the highest quality of video. I had
researched the merits of the technology, which complimented my own vision, and
found a tremendously feasible project, one which would have the potential to have a
major impact into the film and video industries. I had always personally believed that
sound was as important as the picture for the truest sense of entertainment. The
following documents will demonstrate my investment into this technology, along with
my keen sense of perception. Today we call this Direct Broadcast Satellite DSS,
which is currently causing the cable industry great pains. The consequences of digital
technologies to the world of information is what now gives us the Information
Highway, and all of its peripheral components.
The following documents will easily confirm my interests to the preceding three
businesses, FMG, the mortgage banking operation, and the Digital Movie project.
The relationship to my partners was less than amicable. In developing FMG I agreed
to let Mr. Robert Kauffman (Kauffman) act as President, upon the condition that we
each own the same amount of stock. Mr. Michael Hartlett (Hartlett) did contribute to
the early development of FMG. Since Kauffman could not control me, Kauffman and
Hartlett would of attempt to buy me out, well after I created and incurred the most
risk, and after the proven success of the organization. In the Spring of 1987, I had to
personally take control of the Board of Directors to undue a merger that presented
great risk to the company, and my investment. As part of our strategic plan, we
agreed to purchase an interest in a Broker Dealer, rather than spending the capital
and human resources in which it would require. I had personally traveled to
Washington D.C., to visit this company, which was Kauffmans idea, and I literally
found an empty shell. I found offices full of empty cartons, empy file cabinets, and
this was the company that was responsible for processing all of the securities business
that our brokers transact. This process was vital to our organization.
I immediately flew to Atlanta, GA, to visit another company, PSC, which had been
courting our company for a relationship for almost a year. It was a company that
provided technology, service, affiliates which accounted for several of the past
presidents International Association for Financial Planners, of which I served as Vice
President the Central Pennsylvania Chapter. (This association provided me with the
national exposure to develop FMG.)
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In May of 1987, while traveling to a conference in Palm Springs, CA, the FMG
Board of Directors approve the merger of PSG, I had voted via telephone from an
airport in Chicago.
The would be the last time that I would vote at an FMG Board of Directors meeting.
This is when I loose virtually everything that is vital to a businessman, my assets,
excellent credit rating and my spotless reputation, my professional designations and
licenses, the opportunity to continue the vast business opportunities that I have
developed, and most painfully, my dignity --- all without merit or reasonable cause.
June 23, 1987
10:30 am. I have a schedule meeting with Mr. Larry Resch and Mr. Carl Jacobson,
both of International Signal & Control, (ISC) and United Chem Con. The meeting
was to discuss different financial deals. Upon arriving, Mr. Resch disclosed to me
that they had to fly Carl out of the country this morning, he will not be here.
I remember that there was a lot of names and places, all over the world, that
mentioned.
During our discussions, I had become annoyed at something, so I began making
assertions that ISC and Mr. James Guerin was involved with fraudulent activities. I
further described some of those activities.
I did not know that Mr. Resch was as close to Mr. James Guerin as you could get.
At approximately 3:00 that same afternoon, I had Russell Locksmith company change
the locks to my office door. Between my partners and ISC, I apparently became
concerned.
2 Days later, on June 25th, via telephone, Mr. Kauffman carelessly reported that 2
stock certificates were issued, without my authorization.
First, I, acting as Secretary ,I must authorize and issue stock certificates, in
accordance to the Articles of Incorporation.
Secondly, Kauffman and company must have burglarized my office to gain access to
the corporate records, which were under my custody, as defined in the Articles.
Several days later, during the night, I had went into my office and removed all of my
files, and upon finding a forged stock certificate with another Board of Director
signing as myself and as Secretary, which violated several bylaws of the Articles of
Incorporation.
The next day I went to the office of my attorney, Mr. Joseph, who advised me to return
all of the corporate files, and essentially suggested that I go home and get some rest.
Mr. Roda would later represent Mr. William Clark, corporate legal counsel for ISC
against Mr. James Guerin in contract dispute for several million dollars.
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That afternoon, I loaded all of my files into my airplane, to transport to Stone Harbor
NJ, where I was renting another house for the Digital Movie project. I had secured
pilots from Romar Aviation to transport the files early the next morning. I had driven
to New Jersey that evening.
That next morning, the pilot that I had hired to fly my plane, telephoned me and
informed me that my plane was repossessed and locked in a hanger, and he would not
be able to deliver my files.
Those files were the only means of substantiating the truth in order to protect myself
from whatever was happening.
My first payment to Commonwealth National Bank, was not due for another month.
In short, I finally found a pilot at the Cape May Airport to fly to Lancaster to my files.
He returned hours later with my files, and would only mention some incident involving
a gun. Later I would be told that he died a mysterious death the next month.
Not knowing that Commonwealth National Bank, the same bank that I was about to
transfer $5 Million mortgage to my mortgage operations, had actually repossessed my
titled airplane in the middle of the night. And conveniently with all of my files
aboard. What bank repossesses legitimate possessions in the middle of the night?
This will be the end of my life as I know it, I had demonstrated my success, my
reputation was exemplified through my ability to develop FMG, and my financial
credit was flawless. In the following months, I will suspiciously loose everything;
including my assets, my business interests, my reputation, my credit, and the most
valuable of all, my opportunity; and ultimately, my dignity. In reality, I was never
even given the chance to fail.
I will contend, and prove, that all of the actions, were without merit and many of
which were fraudulent themselves, and I know that I can substantiate that statement.
According the Articles of Incorporation, I was never legally removed as Secretary, or
any other official duties. Because, there cant be a Board of Directors Meeting
without me, the Secretary. The record in the preliminary hearing transcript clearly
proves that there was no legal Board of Directors Meeting that removed me.
I never resigned from any positions or official duties of FMG, nor was I ever officially
and legally removed from the same.
I was a Tenant, with a $500,000 personal guarantee attached to the lease of FMG,
Ltd.
The forgery of stock certificates violated the bylaws of the Articles of Incorporation,
thus , as Secretary, my duties were to safeguard the corporate records.
The evidence indicates that all of the arrests were fabricated, the airplane
repossession was illegal, and all of the allegations of insanity were malicious.
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In September of 1987, in the Report to the Board of Directors of Ferranti
International, raised a question of substantial risk, unlike that of which Ferranti was
accustomed. The report cautioned any alliance due to the related CIA activities
connected to ISC, and the lack of stability of the customers (Iraq?). At that same
time, I was making public allegations against ISC. My conversations posed
considerable risk to those connected with the pending deal with Farranti.
I can substantiate my claim that; everything that transpired during the days
immediately following the forged stock certificate, of FMG, Ltd., stock on June 25,
1987 was illegal and violated several of the bylaws of the Articles of Incorporation I
was the only officer that was in compliance with the bylaws of the Articles of
Incorporation, and the only officer that did not violate criminal codes.
I can substantiate my claim that I had an interest in Digital Technologies,
including patent research from Mr Joel Goldhammer, of the law firm of Seidel,
Gonda, Goldhammer & Abbott, P.C. of Philadelphia, which violated several statutes
of intellectual property rights.
I can substantiate my claims that all of the arrests and hospitalizations were malicious
and illegal, violating several of my civil rights.
I can substantiate my claim that my allegations of fraud within International Signal &
Control, Plc., were motive for many of my perpetrators.
I can substantiate my claim that the Pennsylvania Attorney Generals Office, and the
Pennsylvania Securities and Exchange Commission; aided and abetted in the sale of
Arms and Technologies to Iraq, by virtue of the fact that I made formal complaints
involving the same, and both agencies violated my constitutional rights to suppress the
truth of my complaints.
I can substantiate the legal validity of the recorded conversations for my defense.
My interests in Digital Technologies, and my demand to be restored to whole, is
the matter at hand.
I Remain,
Stan J. Caterbone

Enclosure:

CD-ROM

NOTICE OF MOTION. RESPONSE DEADLINE


AND HEARING DATE
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Fulton Bank has filed a Motion for Relief from Automatic Stay Pursuant to 11
U.S.C. Section 362 and Bankruptcy Rule 9014 in order to exercise its state law
rights and remedies as concerns its mortgage lien against Debtor's premises located
at 220 Stone Hill Road, Conestoga. Lancaster County, Pennsylvania.
Your rights mav be affected. You should read these papers carefully and discuss
them with your attorney, if you have one in this bankruptcy case. (If you do not have
an attorney, you may wish to consult an attorney.)
1. If you do not want the court to grant the relief sought in the motion or if
you want the court to consider your views on the motion, then on or before
February 8, 2006 you or your attorney must do & of the following:
(a) File
The Madison Building
400 Washington Street, 3" Floor
Reading, PA 19601
If you mail your answer to the bankruptcy clerk's office for filing, you must mail; it
early enough so that it will be received on or before the date stated above; and (b)
mail a copy to the movant's attorney:
Shawn M. Long, Esquire
Barley Snydcr, LLC
126 East King Street
Lancaster, PA 17602
Telephone: (717) 399-1512
Facsimile: (717) 291-4660

11:00 AM - 12:30 PM

Peace activist at E-town -- E-town College

A Juniata College official who has spent three decades working to discourage military conflict
will give a talk next week at Elizabethtown College on "Iraq, Vietnam, and the Dilemmas of
Soldiers."
James Skelly, senior fellow at Juniata College's Baker Institute for Peace and Conflict
Studies, will speak Wednesday, Feb. 1, at 11 a.m. in E-town's Gibble Auditorium, in
Esbenshade Hall.
His talk is free and open to the public.
Skelly also is academic coordinator of peace and justice programs for Brethren Colleges
Abroad.
As a young U.S. military officer, his refusal to serve in Vietnam led to a lawsuit against the
Secretary of Defense that helped redefine the criteria for in-service conscientious objection.
He received an honorable discharge in 1971.

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February 02, 2006


Thursday
All Day

Sheryl at the Hard Rock Cafe -- New York, NY

9:00 AM - 9:00 AM

Judge Twardowski Feb 2 Order -- Reading, PA

UNITED STATES BANKRUPTCY COURT


EASTERN DISTRICT 01: PENNSYLVANIA
In Re: Stanley J. Caterbone
DebtoNs) Case No: 05-23059-tmt
Chapter: 11

ORDER

AND NOW, this, 1/31/06 , it appearing that counsel may have attempted to add creditors
after a notice of the meeting
of creditors was served upon all Listed creditors, but failed to file a certificate of service
of the debtor's amended
schedules or amended matrix as required the provisions of Local Bankruptcy Rule 1009.1,
it is hereby
ORDERED that if such certification of service of amended matrix is not filed within twenty
(20) days from the date
of this Order, the case will be closed without any such amendment, and the discharge
and/or claims of exemption of
the debtor(s) may not be effective as to the added creditor(s) upon whom notice was not

served.
By The Court
Thomas M. Twardowski
Judge , United States Bankruptcy Court
12:00 PM - 1:00 PM

Sheryl Concert Hard Rock Cafe -- New York, NY

"Off the Record" concert

February 03, 2006


Friday
8:00 AM - 8:30 AM

Reminder to Artists or AMG/Interscope

Send artists of label welcome letter


12:00 PM - 1:30 PM

Rcvd LC KEGEL KELIN ALMY & GRlMM responst to Fed Civil Action -- Facs to Judge McLaughlin

Advanced Media Group


220 Stone Hill Road
Conestoga, PA 17516
February 3, 2006
KEGEL KELIN ALMY & GRlMM LLP
24 North Lime Street
Lancaster, PA 17602
TEL717.392.1100
FAX 717.392.4385
wwwkkaglaw.com
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Dear Mr. Kelin:
I am curious to the following statements:
I responded that I would likely not be the attorney of record, and that insurance counsel would
be assigned to defend against any such claim.
Now, would likely not, does not mean that you are or are no? Could you please just tell me if you are? Why
not just say that I am not?
and that insurance counsel would be assigned to defend against any such claim. Caterbone's
complaint
How can I serve the insurance counsel for the case if he is not assigned until after he is served?
Thus, Mr. Caterbone's attempted service was ineffective. In light of your Order datedJanuary
6,2006, his complaint against the Lancaster County Prison and the Lancaster County Sheriffs
Department is subject to dismissal.
So, if you are not attorney of record, than why and how do you have a legal opinion regarding the civil complaint
that I filed?
Now, just for the record, you are aware of Case No. CI-05-03644, which is currently before your courts, is in stark
contrast to your views, actions, and legal opinions regarding the Convention Center?
Respectfully,
Stan J. Caterbone
Cc:

The Honorable Mary A. McLaughlin


United States District Court for the Eastern District of Pennsylvania

www.amgglobalentertainmentgroup.com
infor@amgglobalentertainmentgroup.com
717.799.5915 Phone
717.427-1621 Fax

KEGEL KELIN ALMY & GRlMM LLP


24 North Lime Street Lancaster, PA 17602 TEL717.392.1100 FAX717.392.4385 wwwkkaglaw.com

February 2,2006

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BY FACSIMILE 1267-299-5071) AWD FIRST-CLASS MAIL

The Honorable Mary A. McLaughlin


United States District Court for
the Eastern District of Pennsylvania
U.S. Courthouse
601 Market Street, Room 13614
Philadelphia, PA 19106-1748
Re: Stanley J. Caterbone v. Lancaster County Prison, et al.. Civil Action No. 05-2288
Dear Judge McLaughlin:
This concerns as pro se lawsuit filed by Stanley J. Caterbone against (among others) the
Lancaster County Prison and the Lancaster County Sheriffs Department.
The County of Lancaster currently is without a Solicitor. In the absence of a Solicitor, I was
appointed Interim Special Counsel to the County on December 29,2005.
Attached is an email I received from Mr. Caterbone on January 16,2006, and my response to
him sent a few minutes later. Mr. Caterbone asked if I would be the "attorney of record" for a
lawsuit against the Lancaster County Prison and the Lancaster County she&. I responded that I
would likely not be the attorney of record, and that insurance counsel would be assigned to
defend against any such claim. Caterbone's complaint. The other was a summons to Lancaster
County Sheriffs Department and a copy of Mr. Caterbone's complaint.
Each package also contained a copy of your Order of January 6,2006, which required service of
process by January 25,2006, and stated that the Court will dismiss Mr. Caterbone's complaint
without prejudice if service is not effected by that date.
Service of the summons and complaint has not been made, because Mr. Caterbone's attempted
service was not proper.

The Honorable Mary A. McLaughlin


February 2,2006
Page 2
Pursuant to Fed. R. Civ. P. 4(j)(2), service upon a government organization shall be effected by
delivering a copy of the summons and complaint either to its chief executive officer or by other
means permitted by state law. As I am not the chief executive officer of Lancaster County (or
of its Prison or Sheriffs Department), service was effective only if it was in compliance with
Pennsylvania law.
Mr. Caterbone's attempted service did not comply with state law. Pursuant to Rule 422 of the
Pennsylvania Rules of Civil Procedure, handing a copy to one of the following must make
service of original process on a political subdivision:
(2) the person in charge at the office of the defendant, or 1
(3) the mayor, or the president, chairman, secretary or clerk of the tax levying body
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thereof. . . .
I am not an agent duly authorized by the County of Lancaster to receive service of process. I
am not the person in charge of the office of the County of Lancaster. I am not the chairman of
the County Board of Commissioners.
Thus, Mr. Caterbone's attempted service was ineffective. In light of your Order dated
January 6,2006, his complaint against the Lancaster County Prison and the Lancaster County
Sheriffs Department is subject to dismissal.
I would be pleased to provide any further information upon request of the Court.

cc: Mr. Stanley J. Caterbone


Lancaster County Commissioners
Mr. Don Elliott. County Administrator

February 04, 2006


Saturday
9:00 AM - 9:00 AM

Ipod & Ring Missing -- 220 Stone Hill Road, Conestoga, PA 17516

Woke up and found Ipod and Ring Missing. Ipod was crashed and charging in van.

February 05, 2006


Sunday
4:00 PM - 4:30 PM

Conestoga Police Speeding Ticket -- Main Street, Conestoga, PA

February 06, 2006


Monday
2:30 AM - 2:30 AM

Ipod Found.

8:00 AM - 8:30 AM

Donegal Policy Due $159

PAE 3015468 faxed to 426-7031


10:00 AM - 10:00 AM

Manheim Township Police Order to Dismiss Federal cv05-0288 to Judge McLaughlin


?"

.:-

,\

2005 to the Court requesting permission to amend his "comp


This Court by Order dated January 5,2006, directed Plaintiff to serve his summons and
com~laiubt y Jan- 25,2006.
Township Police Department, the Stone Harbor Police Department, Commonwealth
National Bank, the Lancaster County Prison, and the Avalon Police Department, all by
c e ~ emdai l on January 17,2006. No green cards, i.e., no signed certified mail receipts,
were filed with the Certificates of Service.
4
hues of Fact. a summons. and this Court's Order of
- ''
Set Affidavits A and B. The document sent to Mr.
liDn~ot ice and a rcaucst for waiver of service of summom
w December 3,1987. PlaintifPs 1s
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D, E, A (&). Neither document alleges any additional actions on the part of the Police
Department that Plaintiff contends harmed him or denied him any protected rights.
The Manheim Township Police Department is not a separate governmental entity.
It is a department of Manheim Township. Manheim Township has filed a Motion to
Dismiss Plaintiffs "pleading" on behalf of its Police Department on the grounds of
insufficient service of process pursuant to F.R.C.P. 12@)(5) and for failure to state
claim upon which relief can be granted
which relief may be b e c Pi~t 3; 1987, ~hieh
barred by the statute of lia~itatim?
(2) Service upon a state, ~llunicipawl rpmtion, or other
govemmaal oxgauization subject to suit shall be effected by delivering a
copy of the sunrmons and of the wmplaint to its chief executive officer or
by sening the stunmolls and c o m ~ h hint the rnanner prescribed by the law
of that state for the service of mintnom or other like process upon any such
defendant.
F.R.C.P. 4(j)
As set forth in Affidavits A and B attached to the Motion to Dismiss, no service
was effected by delivery. Indeed, PlaintifFs Certificate of Senice states that he did not
attempt service by delivery, but by certified mail. However, Pennsylvania law does not
permit service by certified mail upon a municipal corporation by a citizen of the same
state. Pa. R.C.P. 422 governing service of process on the Commonwe a d on
political subdivis as
(b) Service of original process upon a political subdivision shall
be made by handing a copy to:
(1) an agent duly authorized by tSle politioal ~ i o stao
receive service of process, or ?
(2) the person in charge at the office of the defendant or
(3) the mayor, or the president, chairman, secretary or
clerk of the tax levying body thereof, and in counties where there is no tax
levying body, the chairman or the clerk of the board of county
commissioners.
Pa. R.C.P. 422@).
Having failed to comply with either the Federal Rules of Civil Procedure or the
p e f ~ ~ ~ hR&ulaes of Civil h~%hp%h h a h w
Township or upon its Police Department within the time period set forth in this Court's
Order of January 5,2006.
This case is very similar to Saimath v. Concurrent Technolopies, Cornoration,
227 F.R.D. 399 (W.D. Pa. 2005). In that case, a pro se plaintiff attempted to serve
defendant with a sunnnbns and complaint by certified mail. The defendant received the
summons and complaint and signed a certified mail receipt, which plaintiff filed with the
court with a return of service. The summons and complaint were not accompanied by a
request for waiver of service of summons. The plaintiff did not complete the return of
service provisions on the summons.
The Defendant filed a motion to dismiss the complaint or to quash seevhr;. The
court found that service
.,
~ennsylvaniaR ules of
corporations as for municipal corporations. The court stated, "Prolpea amvice m b o
effected through a postal service, including &ed mpil." 227 F.R.D. aX 402. TBe
court also stated, "The Court also observes that, 'the party llaakidg the service has the
burden of demonstrating its validity when an objection of service is made."' 227 F.R.D.
at
The ,Swath court concluded that the motion to dismiss should not be granted
because the plaintiff had made a good faith effort to serve the defendant and because
there. was, "the
afforded to pro
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procedural technicality." 227 F.R.D. at 404.
Those reasons do not apply to this case. (a) There is no evidence of good faith.
Indeed, Plaintiff has falsely represented service upon the Manheim Township Police
Department. (b) Likewise, Plaintiff should not be extended any leniency because of his
misrepresentations as to service. (c) There is no "reasonable prospect" of service in this
case because the time for service pursuant to this Court's Order of January 5,2006, has
passed. Accordingly, the Motion to Dismiss for insufficiency of service should be
granted.
,tMonlyIf,'thetime
alleged in,@mtcsmt of s claiiusaiows that the. awe of action has not been bae~ ,-;x
within the statute o f ~ t i o n s . '&"~ biasmv . Jobmg~,3 13 ~ . 3 d12 8, 135 (3d Cir.
'Third Circuit Rvlc' allows defendants to raise a limitations defense in a Rule 12@)(6)
motion where the 'time alleged in the statement of a claim shows that the cause of action
has not been brought within the statute of limitations."')
Since it is apparent on the face of Plaintiffs "pleading" that the cause of action
has not been brought within the statute of limitations, Plaintiffs suit, at least to the
Manheim Township Police Department, must be dismissed.
In the event that the Court considers a motion to dismiss is inappropriate,
Date: February 6,2006
Manheim Township requests that the Court grant s u..n .../.. \>. l- -?, m t a -i-t PlainW
ursuant to F.R.C.P. 12@
,..
~.+~~.~ . ~
WHEREFORE, Manheim ~o-sh$ on behalf of its ~6ficeD epartment
respectfully requests that Plaintiffs "pleading"
Fact be dismissed.
HARTMAN UNDERHLL & BRUBAKER LLP
By: 1st Christo~herS . Underhill
Christopher S. Underhill
Attorney I.D. No. 07013
Attorneys for Defendants
221 East Chestnut Street
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that I am serving the foregoing Motion of Manheim
Township on Behalf of its Police Department to Dismiss or in the Alternative for Summary
Judgment Pursuant to F.R.C.P. 12(b)(5) and 12(b)(6) and Brief of Manheim Township on
Behalf of its Police Department in Support of its Motion to Dismiss upon the persons and in
the manner indicated below.
-. - , addr2;Csed as- follo
Stanley J. Cktirbone
220 Stone Hill Road
Conestoga, PA 1 75 1
Stone Harbor Police Dep
9508 Second Avenue 3088 Dune Drive
Stone Harbor, NJ 08247 Avalon, NJ 08202
Commonwealth National Bank
(Mellon Bank, N.A.)
One Mellon Center, Suite 19 I5
Pittsburgh, PA 15258
Lancaster County Sheriffs Department
50 North Duke Street
P.O. Box 83480
Lancaster, PA 17608-3480
Fulton Financial Co
One Penn Square
Lancaster, PA 17602
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HARTMAN UNDERHILL 62 BRUBAKER LLP
Date: February 6,2006 By: Is/ Christo~herS . Underhill
Christopher S. Underhill, Esquire
Attorney I.D. No. 07013
Attorneys for Manheim Township and
its Police Department
22 1 East Chestnut Street
Lancaster, PA 17602
Phone: (717) 299-7254Ra.x: (717) 299-3160
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff,
VS.
MANHEIM TOWNSHIP
POLICE DEPARTMENT, et al.
OF ITS POLICE DEPARTMENT TO DISMISS
OR IN THE ALTERNATIVE FOR SUMMARY J U D G M E ~ PIJFC~UAN~T m&% ci,d2
@)(5) AND 12@)(6]
PlahMs "pleading" ~~ of a;a vservice
pursuant to F.R.C.P. 12QX5) and for f a k e to state a claim on which relief can
be granted pursuant to F.R.C.P. 12@)(6) and avers in support thereof the following:
1. Plaintiff filed a Certificate of Service on January 23,2006, averring that he
served the Manheim Township Police Department by sending a copy of his "pleading" by
of the Manheim Township Police Department was filed with the Certificate.
2. The Manheim Township Police Department is not a separate governmental
entity. It is simply a department of Manheim Township.
3. Plaintiffs "pleading" was never sewed upon Chief Rager or any other
member of the Manheim Township Police Department or on any other person employed
by Manheim Township by certified mail or by any other means, all as set forth in the
Affidavits of Chief Rager and the Township Manager, James M. Martin, attached hereto
as Exhibits A and B, respectively.
. . ..
4. Plaintiff did send a wpy ofhis "- M,c " ;I . .'..'... .'+c.. : , . . ..<~ .*, ;. .<.> . , I .. . , . .,i
Order of ~ a n u G5,2 006, by ~edera~l &ressto George T. ~rubakera, 'partner in the la>;
fm of undersigned counsel.
5. Mr. Brubaker was
Department to accept service of any "pleading" by Plaintiff as set forth in the Affidavits
attached as Exhibits A and B.
6. The "pleading" was not accompanied by a notice or a request for waiver of
senice of summons pursuant to F.R.C.P. 4(d).
7. The only allegations regarding the Manheim Township Police Department
in either the Affidavit or the Findings of Fact are allegations of an alleged improper arrest
on September 3, 1987. m a 4
8. These allegations are clearly barred by the statute of limitations.
9. Plaintiffs "pleading" does not remotely resemble a complaint as required by
F.R.C.P. 3. It does not contain a "short and plain statement of the ground upon which this
court's jurisdiction depends or a short and plain statement of the claim showing the
pleader is entitled to relief or even a demand for judgment for the relief plaintiff seeks",
all as required by F.R.C.P. 8(a).
WHEREFORE, Manheim Township, on behalf of its Police Deparbnent, requests
that the Plaintiffs "pleading" consisting of an Mdavit and Findings of Fact be dismissed
because service was not obtained by January 25,2006, as requiredbytimCkBQ&W
.: .... ,
Court of January 5,2006, and because the
relief may be grantee*speccfuuy submitted,
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February 06, 2006 Continued


Monday
Dated: February 6,2006
Attorney LD. No. 07013
Attorneys for Manheim Township
and its Police Department
221 East Chestnut Street
Lancaster, PA 17602
Phone: (717) 299-7254, Fax: (717) 299-3 160
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff,
Paul D. Ragcrs being dHly - , .
..
2. That the Manhem Town&@ Police is not a wpmtc entity, bru
3. That neither he nor any other person in the Mdeim Township Police
Department has been served with Plaintiffs "pleading" by certified mail or by any other
means.
4. That George T. Brubaker has never been authorized to accept service of any
5. The facts set forth in this Aflidavit are true and correct to the best of his
knowledge, information and belief. h Pau D. Rager
Sworn to and subscribed :
before me this [dth day of :
6 h ruac,
- --. -,2006 NOTARIAL SEAL j 1 %!aile R. Fisher, Notary Public 1
?-G.b&$de !\:a. :i 3t!;m Township, Lancaiter County
Notary Public - . . . . .. . .- . . . . . !
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
S?ANLEY J. CATERBONE,
Plaintiff,
VS .
James M. Martin, being duly swam acuxd@.&..-, .W. t bWb
That the Manheim Townsb$ ~ a e e a c l r ~ t e @ , b
is a department of Mdeim Township.
3. That neither he nor any. o ther person employed by Manheim Township
Police has been served with Piaintifps "pleading" by certified mail or by any other means.
4. That George T. Brubaker has never been authorized to accept service of any
legal papers on behalf of Manheim Township or its Police Department.
knowledge, information and belief.
Sworn to and subscribed :
before me this day of :
Febcw*+( ,2006
I, &h .a/Notary Public
COMMONWEALTH OF PENNSYLVAMA
UldaM.oiPma.NcgryPlrbso
Manbar, Pennsylvania Asszdatlon W Not.rLa
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE.
Plaintiff,
* . C WAC TION NO.: 05-2288
MANHEIM TOWNSHIP . L. & ;tIi-a' *d,.' : @ . %.- .i u;g~~i, ~ I': : ;, ::
--.-s%. :L. .>
% - POLICE DEPARTMENT, et al.
. . ~.
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Monday
! ' i~
HARTMAPJ.UNDERHILLr& BRUBAKER LLP
Dated: February 6,2006 By: Is1 Christo~herS . Underhill
Christopher S. Underhill
Attorney I.D. No. 07013
Attorneys for Manheim Township
Police Department
221 East Chestnut Street
t:
. .. ., .. : . . , < *,I i
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that I am serving the foregoing Praecipe for Entry of
Appearance upon the persons and in the manner indicated below.
Service by First Class Mail, addressed ae f o W
Stanley J. Catdone
22OOSmYHDlRorl [m Conestoga, PA 17516 ,
, .. .::.%. .>."-&
... .. .. "... - .. . . .. ., : 4. ] . .. , . . . . . . .,
Stone Harbor Police Department Avalon Police Department
9508 Second Avenue
Stone Harbor, NJ 08247
Commonwealth National
(Mellon Bank, N.A.)
One Mellon Center, Suite 1915
Pittsburgh, PA 15258
Fulton Financial Corporation
One Penn Square
Lancaster, PA 17602
HARTMAN UNDERHILL & BRUBAKER LLP
Christopher S. Underhill, Esquire
Attorney I.D. No. 07013
Attorneys for Manheim Township and
its Police Department
22 1 East Chestnut Street
Lancaster, PA 17602
Phone: (717) 299-7254Fa.x: (717) 299-3 160

5:00 PM - 5:30 PM

Drew Anthon MOTION TO ANSWER PRELIMINARY OBJECTIONS -- 220 Stone Hill Road, Conestoga, PA
17516

IN THE COURT OF COMMON PLEAS LANCASTER COUNTY,


PENNSYLVANIA
CIVIL DIVISION

PROJECT HOPE
ADVANCED MEDIA GROUP
220 Stone Hill Road
Conestoga, PA 17516
Plaintiff

Case No. CI-05-03644

DREW ANTHON,
(MA)EDEN RESORT INN
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Monday
Lancaster, PA 17601
Defendant

MOTION TO ANSWER PRELIMINARY OBJECTIONS


Plaintiff files the following opinion to the Defendants PRELIMINARY OBJECTIONS OF
DEFENDANTS filed on January 24, 2006 requesting the courts to dismiss this case.

1.

CONFLICT OF INTEREST: McNeese, Wallice, & Nurick are named as my


corporate attorneys in 1986 and are named in a Civil Action with the United States
District Court for the Eastern District of Pennsylvania Honorable Judge Mary A.
McLaughlin Case No. 05-2288.

2.

Medical Expenses from Lower Back Pain Due To Stress Excelsior Place Business Plan Fees UPS Store Lost Opportunity ___________
SUB TOTAL

$5,184.00
$7,000.00
$10,000.00

$22,118.00

ATTORNEY FEES AND ADMINISTRATION -

2,000.00

$24,118.00

TOTAL -

February 08, 2006


Wednesday
8:00 AM - 8:00 AM

Fulton Auto Stay Motion Due

1. If you do not want the court to grant the relief sought in the motion or if you want the
court to consider your views on the motion, then on or before February 8, 2006 you or your
attorney must do & of the following:
(a) File an answer explaining your position at
The Madison Building
400 Washington Street, 3" Floor
Reading, PA 19601
If you mail your answer to the bankruptcy clerk's office for filing, you must mail; it early
enough so that it will be received on or before the date stated above; and
(b) mail a copy to the movant's attorney:
Shawn M. Long, Esquire
Barley Snydcr, LLC
126 East King Street
Lancaster, PA 17602
Telephone: (717) 399-1512
Facsimile: (717) 291-4660
2. If you or your attorney do not take the steps described in paragraphs l(a) and l(b)
above and attend the hearing, the court may enter an order granting the relief requested in the
motion.
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Wednesday
3. A hearing on the motion is scheduled to be held before the Honorable Thomas M.
Twardowski

on February 21, 2006, at 9;30 a.m. in Courtroom 1, United States Bankruptcy


Court, 400 Washington Street, Reading, PA 19603.
4. If a copy of the motion is not enclosed, a copy of the motion will be provided to
you if you request a copy rom the attorney named in paragraph 10).
5. You may contact the Bankruptcy Clerk's office at 610-320-5255 to find out
whether the hearing has been canceled because no one filed an answer.
Date: January 24,2006

8:00 PM - 11:00 PM

2006 Grammy's -- Stape Center, Los Angelos

2006 GRAMMY AWARDS ON CBS


The Grammy Awards will open with a meeting of the Material Girl and the virtual world.
Madonna and Gorillaz will perform together for the first time at the 48th Annual Grammy
Awards, which will be presented Wednesday at Staples Center in Los Angeles.
The 47-year-old pop star will sing with the Gorillaz, who will be appearing in 3-D animated
color. The brainchild of Blur frontman Damon Albarn, Gorillaz are a melding of rock and hiphop that represents band members as cartoon alter-egos created by animator Jamie Hewlett.
Paul McCartney has been added to the list of performers, the Recording Academy announced
Thursday, who also include Mariah Carey, John Legend, Kanye West, Bruce Springsteen, U2
with Mary J. Blige, Coldplay, Faith Hill with Keith Urban, Sugarland and Jamie Foxx.
It will be McCartney's first ever performance at the Grammys, the Academy said. This year,
he is nominated for three awards, including album of the year for "Chaos and Creation in the
Backyard."
The Gorillaz are nominated for four Grammys, including record of the year for "Feel Good
Inc.," which features De La Soul.
Madonna, who has won five Grammys, released "Confessions on a Dance Floor" in
November. She is not nominated this year.
The Grammys will be broadcast by CBS at 8 p.m.

2006 GRAMMY AWARDS ON


CBS
Mariah Carey ended her 16-year Grammy drought, but rock gods U2 smashed her comeback
queen dreams by snatching five trophies Wednesday, including song and album of the year.
Carey, one of the best-selling artists of all time, hadn't won a Grammy since her first two as a
fresh-faced ingenue in 1990. This year, she was nominated for a leading eight and won three
in the pre-telecast ceremony. No woman had ever won more than five in one night.
But Carey was shut out through the entire televised portion, losing twice to U2, once to Green
Day for record of the year and once to former American Idol Kelly Clarkson for best female
pop vocal performance.
"If you think this is going to go to our head, it's too late," U2 frontman Bono said after the
group won song of the year.
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Wednesday
After winning the night's big award, album of the year, Bono told Carey, "You sing like an
angel."
John Legend won three awards: best new artist, best R&B album for his debut, "Get Lifted,"
and best male R&B vocal for the piano ballad "Ordinary People." His mentor, Kanye West,
also won three.
Clarkson won two, including best pop album.
"I'm sorry I'm crying again on national television," said Clarkson, tearful and shaking as she
held her first Grammy. "Thank you so much, you have no idea what this means to me."
The highlight of the show was the appearance of Sly Stone, the mercurial, psychedelic
pioneer who disappeared from the music scene decades ago and hadn't performed in public
since 1993.
Toward the end of a sizzling all-star tribute, Stone emerged sporting a pale Mohawk against
his 61-year-old brown scalp and made his way through one of his biggest smashes, "I Want
To Take You Higher." Though the tribute was planned, many didn't expect Stone -- who
hasn't performed in public in years -- to show up.
Keith Urban was answering questions backstage when Stone's performance began playing on
a nearby monitor, and he had to stop talking.
"I think we just got upstaged," Urban said in amazement. "Everything pales in comparison."
Aside from winning the most awards, U2 provided one of the more rousing performances in
the jam-packed show as they sung their hit "Vertigo," then collaborated with R&B queen Mary
J. Blige's gospel-inflected fervor for their classic "One."
West's three Grammys matched his total for last year. The brash rapper/producer played up
(or lived up to) his egotistical reputation as he won best rap album for "Late Registration.
"I had no idea, I had no idea," West said in mock shock as he pulled a huge sheet of paper
that read "Thank You List."
Alison Krauss & Union Station also won three awards, including best country album, while
Stevie Wonder, who released his first album in 10 years last year, had two.
The show started off on a two-dimensional note as the cartoon-fronted rock group Gorillaz
performed their record of the year contender, "Feel Good Inc." with the help of animation, a
blue screen and guest rappers De La Soul. The performance then segued into a Madonna
moment, as the pop queen -- who was not nominated for any awards -- shimmied through the
Gorillaz' virtual space while singing her latest hit, "Hung Up."
A brief, impromptu performance by Alicia Keys and Wonder was the first to energize the
crowd. Wonder pulled out his harmonica and the two soulfully sang his classic "Higher
Ground" as a tribute to the late Coretta Scott King, who was buried Tuesday.
"Let's keep trying to reach that higher ground," singer Keys said. "I forever want to reach that
higher ground."
Winners at Wednesday's 48th Annual Grammy Awards:
Album of the Year: "How to Dismantle an Atomic Bomb," U2.
Record of the Year: "Boulevard of Broken Dreams," Green Day.
New Artist: John Legend
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Wednesday
Male R&B Vocal Performance: "Ordinary People," John Legend.
Pop Vocal Album: "Breakaway," Kelly Clarkson.
Rap/Sung Collaboration: "Numb/Encore," Jay-Z featuring Linkin Park.
Song of the Year: "Sometimes You Can't Make It on Your Own," U2.
Female Pop Vocal Performance: "Since U Been Gone," Kelly Clarkson.
Country Album: "Lonely Runs Both Ways," Alison Krauss and Union Station.
Rap Album: "Late Registration," Kanye West.
Rock Album: "How to Dismantle an Atomic Bomb," U2.
Rap Solo Performance: "Gold Digger," Kanye West.
Rap Performance by a Duo or Group: "Don't Phunk With My Heart," The Black Eyed Peas.
Rap Song: "Diamonds From Sierra Leone," D. Harris and Kanye West.
Solo Rock Vocal Performance: "Devils & Dust," Bruce Springsteen.
Rock Performance by a Duo or Group With Vocal: "Sometimes You Can't Make It on Your
Own," U2.
Hard Rock Performance: "B.Y.O.B.," System of a Down.
Metal Performance: "Before I Forget," Slipknot.
Rock Instrumental Performance: "69 Freedom Special," Les Paul and Friends.
Rock Song: "City of Blinding Lights, U2, (U2).
Alternative Music Album: "Get Behind Me Satan," The White Stripes.
Female R&B Vocal Performance: "We Belong Together," Mariah Carey.
R&B Performance by a Duo or Group With Vocals: "So Amazing," Beyonce and Stevie
Wonder.
Traditional R&B Vocal Performance: "A House Is Not a Home," Aretha Franklin.
Urban/Alternative Performance: "Welcome to Jamrock," Damian Marley.
The highlight of the show was the appearance of Sly Stone, the mercurial, psychedelic
pioneer who disappeared from the music scene decades ago and hadn't performed in public
since 1993.

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February 09, 2006


Thursday
11:00 AM - 11:30 AM

Fulton Bank Order to Dismiss Federal cv-0288 Judge McLaughlin

Motions
2:05-cv-02288-MAM CATERBONE v. LANCASTER COUNTY PRISON et al

United States District Court


Eastern District of Pennsylvania
Notice of Electronic Filing
The following transaction was received from CARFLEY, STEPHANIE entered on 2/9/2006 at 4:39
PM EST and filcd on 2/9/%06
Case Name: CATERBONE v. LANCASTER COUNTY PRISON et a1
Case Number: 2:05-cv-2288
Filer: FULTON BANK
Document Number: l7
Docket Text:
MOTION to Dismiss filed by FULTON BANK.Certificate of Service. (Attachments: # (1) Text of
Proposed Order)
(CARFLEY, STEPHANIE)
The following document(s) are associated with this transaction:
Document descripti0n:Mai.n Document
Original filename:da
Electronic document Stamp:
[STAMP dcecfStam~ ID=1001600548 IDate=2/9/20061 IFileNumbe~l882382-01
Document description:Text of Proposed Order
Original filename:da
Electronic document Stamv:
2:05-cv-2288 Notice will be electronically mailed to:
STEPHANIE CARFLEY scarfley@barley.com, kgarner@barley.com; tranck@barley.com;
easterndistrict@barley .corn
GEORGE M. GOWEN, 111 ggowen@cozen.com
CHRISTOPHER S. UNDERHILL chrisu@hublaw.com,
2:05-cv-2288 Notice will be delivered by other means to:
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff
LANCASTER COUNTY PRISON, MANHEIM :
TOWNSHIP POLICE DEPARTMENT, STONE :
HARBOR POLICE DEPARTMENT, AVALON : JURY TRIAL DEMANDED
POLICE DEPARTMENT, COMMONWEALTH :
NATIONAL BANK (i.e. MELLON BANK),
SOUTHERN REGIONAL POLICE
DEPARTMENT, LANCASTER COUNTY
SHERIFFS DEPARTMENT, FULTON BANK :
Defendant
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Thursday
ORDER
AND NOW, this __ day of ,2006, upon consideration of Defendant Fulton Bank's Motion to Dismiss
Plaintiffs Complaint, its Brief in support thereof and any response thereto, it is hereby ORDERED
AND
DECREED that Fulton's Motion is GRANTED and Plaintiffs Complaint is DISMISSED WITH
PREJUDICE.

BY THE COURT:
Mary A. McLaughlin, J.

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
PIaintiff
LANCASTER COUNTY PRISON, MANHEIM
TOWNSHIP POLICE DEPARmENT, STONE
HARBOR POLICE DEPARTMENT, AVALON
POLICE DEPARTMENT, COMMONWEALTH
NATIONAL BANK (i.e. MELLON BANK),
SOUTHERN REGIONAL POLICE
DEPARTMENT, LANCASTER COUNTY
SHERIFFS DEPARTMENT, FULTON BANK
Defendant

JURY TRIAL DEMANDED

DEFENDANT FULTON BANK'S MOTION TO


DISMISS PLAINTIFF'S COMPLAINT
Defendant, Fulton Bank, by and through its attorneys, Barley Snyder, LLC, hereby moves this
Court pursuant to Rule 12(b) of the Federal Rules of Civil Procedure to dismiss Plaintiff's Complaint.
In support thereof, Defendant avers as follows:
1. On or about May 16, 2005, Plaintiff, Stanley J. Caterbone ("Caterbone")
filed a pro se Complaint against Fulton Bank ("Fulton") and various other Defendants.
2. Although Fulton received a copy of the Summons, Fulton was not sewed
with a copy of the Complaint within the 120 day time limit provifed by Rule 4(m) of the
Federal Rules of Civil Procedure.
3. Upon information and belief, on or about December 17, 2005, Plaintiff
sent a letter to this Honorable Court requesting leave to amend the Complaint and a
hearing.
4. By Order dated January 5,2006, the Court directed Plaintiff to serve
Defendants with the Summons and Complaint by January 25,2006 or face dismissal of
the Complaint without prejudice.
5. In that Order, the Court also denied a Motion to File the Complaint under
Seal that apparently was filed by Plaintiff, but never served upon Fulton.
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Thursday
6. On January 20,2006, Fulton received via priority mail a copy of the
Court's Order of January 5,2006, the Summons and two (2) documents entitled
"Affidavit of Stanley J. Caterbone" and "Findings of Fact" which are believed to
collectively constitute the Complaint (hereinafter referred to as the "Complaint").
7. There are several defects andlor deficiencies in Plaintiffs Complaint.
Therefore, Fulton files the following Motion to Dismiss pursuant to Federal Rule of Civil
Procedure 12(b).

MOTION TO DISMISS FOR LACK OF


SUBJECT MATTER JURISDICTION
8. To the extent that Plaintiff is asserting that this Court has jurisdiction over
his claims by virtue of an alleged diversity of citizenship pursuant to 28 U.S.C. 91332,
Plaintiffs Complaint must be dismissed for lack of subject matter jurisdiction.
9. Section I332 requires that complete diversity exist between the parties,
which means that in order for the Court to have jurisdiction, the plaintiff cannot be a
citizen of the same state as any of the defendants. Grand Union Suuemarkets of
V.I.. Inc, v. H.E. Lockhart Management. Inc., 3 16 F.3d 408 (3d Cir. 2003).
10. In other words, in order to invoke diversity of citizenship as a basis for
federal subject matter jurisdiction, a plaintiff must show that he/she does not share
citizenship with of the defendants. Owen Equipment & Erection Co. v. Kroper, 437
U.S. 365,98 S.Ct. 2396,57 L.Ed.2d 274 (1978); Grand Union, 316 F.3d at 410.
11. Diversity jurisdiction exists only when all plaintiffs are of different
citizenship than all defendants. Stanley v. Exxon Cow., 824 F. Supp. 52 (E.D. Pa. 1993).
12. It is evident from the Complaint itself that complete diversity of citizenship between Plaintiff and
all of the Defendants does not exist here.
13. In the instant case, Plaintiff is a citizen of the Commonwealth of
Pennsylvania. However, Defendants Fulton, Lancaster County Prison, Manheim
Township Police Department, Commonwealth National Bank, i.e. Mellon Bank, and
Lancaster County Sheriffs Department are also citizens of Pennsylvania.
14. Since Plaintiff is a citizen of the same state as numerous Defendants,
complete diversity does not exist and this Court does not have subject matter jurisdiction
over the instant claim under 28 U.S.C. 9 1332.
15. Plaintiffs Complaint defeats, rather than establishes, federal subject
matter jurisdiction in this action based upon diversity of citizenship.
16. Accordingly, to the extent that Plaintiffs Complaint alleges that
jurisdiction in this case is based upon diversity of citizenship, it must be dismissed.
WHEREFORE, Defendant Fulton Bank respectfully requests that this Honorable
Court grant its Motion and dismiss Plaintiffs Complaint against it with prejudice.
MOTION TO DISMISS FOR IMPROPER SERVICE
17. The Complaint should also be dismissed because Plaintiff failed to comply
with the requirements of Rule 4 of the Federal Rules of Civil Procedure regarding service
of the Complaint.
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Thursday
18. Rule 4(e) of the Federal Rules of Civil Procedure states:
Unless otherwise provided by federal law, service upon an
individual from whom a waiver has not been obtained and filed,
other than an infant or an incompetent person, may be effected in
any judicial district of the United States: (1) pursuant to the law of
the state in which the district court is located, or in which service is
effected, for the service of the summons upon the defendant in an
action brought in the courts of general jurisdiction of the State; or
(2) by delivering a copy of the summons and of the complaint to
the individual personally or by leaving copies thereof at the
individual's dwellin-e house or usual dace of abode with some
person of suitable age and discretion then residing therein or by
deliverin-g a co.py. of the summons and of the complaint to an agent
authorized by appointment or law to receive service of process.
19. Pennsylvania Rule of Civil Procedure 402 governs the manner of service
in the Commonwealth of Pennsylvania and provides that original process &ay be served:
(1) by handing a copy to the defendant; or
(2) by handing a copy (i) at the residence of the defendant to an adult
member of the family with whom he resides; but if no adult member of the
family is found, then to an adult person in charge of such residence; or (ii)
at the residence of the defendant to the clerk or manager of the hotel, inn,
apartment house, boarding house or other place of lodging at which he
resides; or (iii) at any office or usual place of business of the defendant to
his agent or to the person for the time being in charge thereof.
20. In the instant case, Plaintiff sewed Fulton with the Summons and
Complaint via priority mail on January 20,2006.
21. Mailing copies of the Summons and Complaint is insufficient to effect
service under the Federal Rules or the Pennsylvania Rules of Civil Procedure for a
defendant who is located in the Commonwealth of Pennsylvania.
22. Accordingly, proper service has not been made upon Fulton.
23. Nor has Plaintiff made a showing of good cause for his failure to properly
serve the Summons and Complaint upon Fulton. See e.p. Barrett v. City of Allentown,
152 F.R.D. 46,49 (E.D. Pa. 1993) (plaintiffs' pro se status or lack of knowledge of
procedural rules does not constitute good cause for failing to effect proper service).
24. Accordingly, Plaintiffs Complaint should be dismissed in its entirety.
WHEREFORE, Defendant Fulton Bank respectfully requests that this Honorable
Court grant its Motion and dismiss Plaintiffs Complaint against it with prejudice.
MOTION TO DISMISS FOR FAILURE TO STATE A CLAIM
WON WHICH RELIEF MAY BE GRANTED
25. l'he Complaint filed by Plaintiff in connection with this matter consists of
eighty-seven (87) pages of single-spaced text.
26. In those eighty-seven (87) pages, Fulton is only mentionedpn Pagcs 55,
56,80,81 and 86.
27. On Pages 55 and 56 of the Complaint, Plaintiff alleges that on August 2,
1990, Fulton "embezzled $5,000 from the checking account of Stan Caterbone due to an
error by Fulton Bank's accounting" and "refused to credit the account for more than 60
days, without crediting the lost interest income."
28. On Pages 80 and 8 1, Plaintiff alleges that in 1996, his brother, Tom
Caterbone, presented a check for deposit to Fulton on at least three (3) occasions and that
Fulton refused to deposit the check on each occasion because there were insufficient
funds in the account from which the check was to be drawn.
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Thursday
29. On Page 86, Plaintiff merely alleges that Fulton is a limited partner in
Penn Square Partners.
30. Plaintiff provides no further factual or other support for his claims.
3 1. Based on these bare allegations, it is unclear from the Complaint exactly
what claims Plaintiff is attempting to assert against Fulton.
32. However, to the extent that Plaintiff is attempting to set forth a claim
against Fulton on Pages 55 and 56 of the Complaint for unjust enrichment, he has failed
to state a claim upon which relief can be granted.
33. Unjust enrichment is a quasi-contractual doctrine based in equity which
requires the following elements: (1) benefits conferred on a defendant by plaintiff; (2)
appreciation of such benefits by defendant; and (3) acceptance and retention of the
benefit without payment of value. Wiemik v. PHH U.S. Mortgage Corn., 736 A.2d 616,
622 (Pa. Super. 1999), appeal denied, 561 Pa. 700,751 A.2d 193 (2000).
34. Nowhere in the Complaint does Plaintiff allege that Fulton "appreciated"
the benefit of the allegedly embezzled $5,000; rather, Plaintiffs ~om~laim~a;kte s clear
that the "embezzlement" by Fulton was the result of an accounting error, not an
intentional act by Fulton.
35. Nor does Plaintiff allege that Fulton accepted or retained any benefit
without payment of value to Plaintiff.
36. To the contrary, it is clear from Plaintiffs Complaint that Fulton corrected
the error and credited the $5,000 back to Mr. Caterbone's account.
37. Even accepting the above-referenced allegations of Plaintiffs Complaint
as true, the Complaint fails to state a valid claim for unjust enrichment upon which relief
may be granted.
38. Accordingly, dismissal of the cause of action set forth on Pages 55 and 56
of Plaintiffs Complaint is warranted and appropriate.
39. Like his allegations on Pages 55 and 56, the exact claim being advanced
by Plaintiff on Pages 80 and 8 1 of the Complaint is unclear.
40. Plaintiff alleges that in 1996, his brother, Tom Caterbone, presented a
check for deposit to Fulton on several occasions and Fulton refused to deposit the check
because there were insufficient funds in the account from which the check was to be
drawn.
41. To the extent that Plaintiff is attempting to set forth a claim for common
law fraud, the allegations set forth on Pages 80 and 81 fail to state a cognizable claim
against Fulton upon which relief may be granted.
42. At common law, fraud consists of: (1) a representation made by the
defendant; (2) which is material to the transaction at hand; (3) made falsely, with
knowledge of its falsity or recklessness as to whether it was true or false; (4) with the
intent of misleading another into relying on it; (5) justifiable reliance on the
misrepresentation; and (6) damage to the plaintiff as a result of such reliance. Gibbs v.
m, 538 Pa. 193,207,647 A.2d 882,889 (1994).
43. In the instant case, even accepting Plaintiffs allegations as true, it is clear
from the Complaint that Fulton made no representations, false or otherwise, to Plaintiff
regarding the check at issue.
44. Rather, the check referenced on Pages 80 and 81 of the Complaint was
made payable to and was presented to Fulton by Plaintiffs brother, Tom Caterbone, not
Plaintiff.
45. Nor has Plaintiff pled any justifiable reliance by him on the alleged
representations made by Fulton regarding the refusal to deposit the check.
46. Finally, Plaintiff has not alleged, and cannot prove, any resulting damage
or injury to him caused by his reliance on Fulton's alleged representations.
47. Accordingly, dismissal of the cause of action set forth on Pages 80 and 81
of Plaintiffs Complaint is appropriate for failure to state a claim upon which relief may
be granted.
WHEREFORE, Defendant Fulton Bank respectfully requests that this Honorable
Court grant its Motion and dismiss Plaintiffs Complaint against it with prejudice.
MOTION TO DISMISS BASED UPON THE
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EXPIRATION OF THE STATUTE OF LIMITATIONS
48. Plaintiffs Complaint should also be dismissed under Rule 12(b)(6)
because the Complaint demonstrates, on its face, that the statute of limitations on
Plaintiffs claims against Fulton has expired,
49. Where it appears from the face of the pleading that the complaint is timebarred,
a motion to dismiss for failure to state a claim is proper. Oshiver v. Levin,
Fishbein, Sedran & Beman, 38 F.3d 1380, 1384-85 (3d Cir. 1994), on remand, 910 F.
Supp. 225. See also Sabo v. Parisi, 583 F. Supp. 1468 (E.D. Pa. 1984).
50. The facts as pled in the Complaint on Pages 55-56 and 80-81 demonstrate
that Plaintiffs claims date back to 1990 and 1996, respectively.
51. Additionally, it is clear from the Complaint that Plaintiff was aware at the
time of the facts giving rise to his asserted claims.
52. Accordingly, the statute of limitations has expired on Plaintiffs claims for
unjust enrichment and common law fraud. Calle v. York Hospital, 232 F.Supp.2d 353,
359-60 (M.D.Pa. 2002); Fine v. Checcio, 870 A.2d 850, 857 (Pa. 2005) (statute of
limitations for common law fraud is two-years and begins to run from the moment the
right to bring an action arises, regardless of lack of knowledge, mistake or
misunderstanding); Cole v. Lawrence, 701 A.2d 987,989 (Pa. Super. 1997) (unjust
enrichment claim action is subject to a four-year statute of limitations, as it constitutes a
contract implied-in-law).
53. Since the statute of limitations on Plaintiffs claims against Fulton has
long since expired, the Complaint should be dismissed, with prejudice, for failure to state
a claim upon which relief may be granted.
WHEREFORE, Defendant Fulton Bank respectfully requests that this Honorable
Court grant its Motion and dismiss Plaintiffs Complaint against it with prejudice.
MOTION TO DISMISS FOR LACK OF STANDING
54. Plaintiffs claim that Fulton rehsed to accept a check presented for
deposit by his brother must also fail because Plaintiff does not have standing to assert this
claim against Fulton.
55. In order to establish standing in a federal court "[a] plaintiff must allege
personal injury fairly traceable to the defendant's allegedly unlawful conduct and likely
to be redressed by the requested relief." Allen v. Wright. 468 U.S. 737,750, 104 S.Ct.
3315 (1984).
56. In the area of standing, the United States Supreme Court "has consistently
stressed that a plaintiffs complaint must establish that he has a 'personal stake' in the
alleged dispute, [and] that the alleged injury suffered is particularized as to him." Raines
w, 521 U.S. 81 1,819,117 S.Ct. 2312 (1997).
57. It is also well established that an "abstract injury" or "generalized
grievance'' is insufficient to meet the requisite standing requirements. Streater v. U.S.
Devt, of Transp., No. 95-2162,1996 WL 134807 at *4 (E.D.Pa. March 25,1996).
58. In the instant case, Plaintiff has not alleged that he has suffered any
particularized personal injury in relation to the claim set forth on Pages 80 and 81 of the
Complaint.
59. In essence, through his allegations, Plaintiff simply voices his disapproval
over Fulton's handling of the check presented by his brother.
60. This general grievance is insufficient to establish standing in this Court.
61. Nor has Plaintiff established that he has the right to bring an action on
behalf of his deceased brother.
62. Plaintiff is not the Executor of the Estate of Tom Caterbone. Rather,
Plaintiffs other brother, Steven Caterbone, was appointed the personal representative of
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the Estate.
63. Since Plaintiff has failed to allege or demonstrate any personal injury that
would give him standing to assert the claim set forth on Pages 80 and 81 of the
Complaint, this claim should be dismissed, with prejudice, pursuant to Fed.R.Civ.P.
12(b)(l).
64. Further reasons in support of this Motion are set forth in Fulton's Brief in
Support of the Motion to Dismiss Plaintiffs Complaint which is incorporated by
reference herein.

WHEREFORE, Defendant Fulton Bank respectfully requests that this Honorable


Court grant its Motion and dismiss Plaintiffs Complaint against it with prejudice.
Respectfully submitted,
BARLEY SNYDER, LLC
Dated: February 9,2006 By: 1st Stephanie Carflev
Stephanie Carfley, Esquire
Attorneys for Defendant Fulton Bank
126 East King Street
Lancaster, PA 17602-2893
(717) 299-5201
Court I.D. No. 79136

CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing Motion to Dismiss Plaintiffs
Complaint has been served this 9th day of February ,2006, by first class mail, postage prepaid, upon:
Stanley Caterbone Lancaster County Prison
220 Stone Hill Road 625 East King Street
Conestoga, PA 17516 Lancaster, PA 17602-3 199
Stone Harbor Police Department Avalon Police Department
9508 Second Avenue 3088 Dune Drive
Stone Harbor, NJ 08247 Avalon, NJ 08202
George M. Gowen, 111, Esquire Lancaster County Sheriffs Department
Cozen O'Connor 50 North Duke Street
1900 Market Street P.O. Box 83480
Philadelphia, PA 191 03 Lancaster, PA 17608-3480
Christopher S. Underhill, Esquire
Harhnan, Underhill & Brubaker, LLP
221 East Chestnut Street
Lancaster, PA 17602
The foregoing document has also been filed electronically and is available for
viewing and downloading on the ECF system.

BARLEY SNYDER LLC


By: 1st Ste~hanieC arfley
Stephanie Carfley, Esquire
Attorneys for Defendant Fulton Bank
126 East King Street
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Lancastcr, PA 17602-2893
(71 7) 299-5201
Court I.D. No. 79136

11:00 AM - 11:00 AM

Mellon Bank Request to Judge McLaughlin Order for Extension of Time


PHILADELPHIA ATLANTA CHARLOTTE CHERRY HILL CHICAGO DALLAS DENVER HOUSTON LA5 VEGAS
LONDON NEW YORK NEWARK SAN DIEGO SAN FQANCISCO SEATTLE TRENTON WASHINGTON, DC WEST
CONSHOHOCKEN WICHITA WIIMINGTON LOS ANGELES A PROFESSIONAL CORPORATION

1900 MARKET STREET PHIIADELPHIA, PA 19103-3508 215665,2000


800.523.2900 215.665.2013 FAX
www.coren.com

February 8,2006
VIA FIRST CLASS MAIL
Stuart A. Weiss
Direct Phone 215.665.4796
Direct Fax 215.701.2066
sweiss@cozen.com
The Honorable Mary A. McLaughlin
United States District Court for the Eastern
District of Pennsylvania
601 Market Street
Philadelphia, PA 19106
Re: Caterbone v. Lancaster County Prison, et al., 2:05-CV-2288
Dear Judge McLaughlin:
Enclosed please find a courtesy copy of the Motion of Mellon Bank, N.A. for an
Extension of Time, which was filed with the Clerk of Court via ECF today.
Sincerely,
COZEN O'CONNOR
By: Stuart A. Weiss
SAW
Enclosure
cc: Stanley J. Caterbone (w/ encl.)
George M. Gowen 111, Esquire (w/ encl.)
Christopher S. Underhill, Esquire (w/ encl.)
Avalon Police Department (w/ encl.)
Fulton Financial Corporation (w/ encl.)
Lancaster County Prison (w/ encl.)
Lancaster County Sheriffs Department (w/ encl.)
Stone Harbor Police Department (w/ encl.)

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA

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STANLEY J. CATERBONE,
Plaintiff,

I
Civil Action No. 2:05-cv-2288-MAM

LANCASTER COUNTY PRISON, et al.,


Defendants.

MOTION OF MELLON BANK, N.A.


FOR AN EXTENSION OF TIME
Mellon Bank, N.A. ("Mellon") hereby moves for a 14-day extension of time in which to respond to the
Complaint. The reasons for Mellon's motion are set forth in the accompanying memorandum of law.

Dated: February 8,2006

S/ George M. Gowen III


George M. Gowen III
COZEN O'CONNOR
1900 Market Street
Philadelphia, PA 19 103
Tel. (215) 665-2000
Fax (215) 665-2013
Attorneys for Mellon Bank, N.A.

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTIUCT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff,.

v.
LANCASTER COUNTY PRISON, et al.,
Defendants
MEMORANDUM IN SUPPORT OF MOTION OF
MELLON BANK, N.A. FOR AN EXTENSION OF TIME

Mellon Bank, N.A., ("Mellon") respectfully submits this memorandum in support of its
Motion for an Extension of Time. Mellon seeks a 14-day extension of time to respond to the
Complaint.
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On January 17,2006, Plaintiff sent Mellon a copy of the Complaint via certified mail (Mellon
does not agree that such service is adequate). The Complaint does not name Mellon as a defendant and
does not appear to contain any averments about Mellon. Rather, it alleges certain facts about
Commonwealth National Bank ("Commonwealth"). It appears that, without explanation, Plaintiff
equates Mellon with Commonwealth. Mellon seeks a brief extension of time to respond to the
Complaint, for several reasons.
First, the Complaint is quite long-87 single-spaced pages. The allegations cover more than 20
years and refer to several incidents involving several actors and entities. Moreover, the Complaint is
poorly organized and rambling. It does not contain the "short and plain statement of the claim,"
showing that Plaintiff is entitled to relief from Mellon, contemplated by the Federal Rules of Civil
Procedure. See Fed. R. Civ. P. 8(a). For these reasons, Mellon requires Civil Action No. 2:05-cv-2288MAM more than the 20 days allotted to it, under the rules, to understand and respond to Plaintiff's
allegations.
Accordingly, Mellon respectfully requests a 14-day extension of time in which to respond
to the Complaint.
Dated: February 8,2006

s/ George M. Gowen III


George M. Gowen 111
COZEN O'CONNOR
1900 Market Street
Philadelphia, PA 19103
Tel. (215) 665-2000
Fax (215) 665-2013
Attorneys for Mellon Bank, N.A.

CERTIFICATE OF SERVICE
I, George M. Gowen 111, hereby certify that I served a true and correct copy of the foregoing
Motion for an Extension of Time and the accompanying memorandum of law, via U.S, First Class
Mail, on the 8th day of February, 2006, upon the following:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 175 16
Lancaster County Prison
625 East King Street
Lancaster, PA 17602-3 199
Stone Harbor Police Department Avalon Police Department
9508 Second Avenue 3088 Dune Drive
Stone Harbor, NJ 08247 Avalon, NJ 08202
Fulton Financial Corporation
One Perm Square
Lancaster, PA 17602
Lancaster County Sheriffs Department
50 North Duke Street
P.O. Box 83480
Lancaster. PA 17608-3480
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Christopher S. Underhill, Esquire
HARTMAN UNDERHILL &
BRUBAKER, LLP
221 East Chestnut Street
Lancaster, PA 17602
Attorneys for Defendant Manheim Township
and its Police Department
s/George M . Gowen III
George M. Gowen 111
1900 Market Street
Philadelphia, PA 19103
Tel. (21 5)665-2000
Fax. (215)665-2013

IN THE UJITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA

STANLEY J. CATERBONE,
Plaintiff,.

v.
LANCASTER COUNTY PRISON, et al.,
Defendants

ORDER

AND NOW, this 9th day of February 6, upon consideration Motion of Defendant Mellon Bank, N.A.
("Mellon") for an Extension of Time, and any response thereto, it is hereby ORDERED that said
motion is GRANTED. It is hereby further ORDERED and that the deadline for Mellon's response to
the Complaint is extended by 14 days.

S/Mary McLaughlin
McLaughlin, J.

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1:00 PM - 1:00 PM

Fulton Bank Response and Aswers to Federal cv-0288 Judge McLaughlin

Responses and Replies


2:05-cv-02288-MAM.S&'TERBONE v. LANCASTER COUNTY PRISON et a!

United States District Court


Eastern District of Pennsylvania
Notice of Electronic Filing
The following transaction was received from CARFLEY, STEPHANIE entered on 2/9/2006 at 4:41
PM EST and filed on 2/9/2006
Case Name: CATERBONE v. LANCASTER COUNTY PRISON et a1
Case Number: 205-cv-2288
Filer: FULTON BANK
Document Number: 18
Docket Text:
RESPONSE in Support re [17] MOTION to Dismiss filed by FULTON BANK. (CARFLEY,
STEPHANIE)
The following document(s) are associated with this transaction:
Document description: Main Document
Original filenameda
Electronic document Stamp:
[STAMP dcecfStarnp lD=l001600548 [Date=2/9/2006] [FilcNumber=l882392-01
I41 2b7 19d2b2c63~0cb13 1 tD703b58b5b88c7fOOadc47d3cc041041d6475r40c47dOd
~d8224cdda~437b72affl9eaac29D942fBa7720286a7425~90bc114ea]]
2:05-cv-2288 Notice will be electronically mailed to:
STEPHANIE CARFLEY scarfley@barley.com, kgarner@barley.com; tranck@barley.com;
easterndistrict@barley.com
GEORGE M. GOWEN , I11 ggowen@cozen.com
CHRISTOPHER S. UNDERHILL chrisu@hublaw.com,
2%-cv-2288 Notice will be delivered by other means to:
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 175 16

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff
No. 05-CV-2288
v.
LANCASTER COUNTY PRISON, MANHEIM :
TOWNSHIP POLICE DEPARTMENT, STONE :
HARBOR POLICE DEPARTMENT, AVALON : JURY TRlAL DEMANDED
POLICE DEPARTMENT, COMMON WEALTH :
NATIONAL BANK (i.e. MELLON BANK),
SOUTHERN REGIONAL POLICE
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DEPARTMENT, LANCASTER COUNTY
SHERIFFS DEPARTMENT, FULTON BANK :
Defendants

DEFENDANT FULTON BANK'S BRIEF IN SUPPORT OF


MOTION TO DISMISS PLAINTIFF'S COMPLAINT
1. HISTORY OF THE CASE
On or about May 16,2005, Plaintiff, Stanley J. Caterbone ("Caterbone") filed a pro se
Complaint against Fulton Bank ("Fulton") and vatious other Defendants. Although Fulton
received a copy of the Summons, Fulton was not served with a copy of the Complaint.
Upon information and belief, on or about December 17,2005, Plaintiff sent a letter to this
Honorable Court requesting leave to amend the Complaint and a hearing. By Order dated
January 5,2006, the Court directed Plaintiffto serve Defendants with the Summons and
Complaint by January 25,2006 or face dismissal of the Complaint without prejudice. In that
Order, the Court also denied a Motion to File the Complaint under Seal that apparently was filed
by Plaintiff, but never served upon Fulton.
On or about January 20,2006, Fulton received via priority mail a copy of the Court's
Order of January 5,2006, the Summons and two (2) documents entitled "Affidavit of Stanley J.
Caterbone" and "Findings of Fact" which are believed to collectively constitute the Complaint
(hereinafter referred to as the "Complaint"). There are several defects andlor deficiencies in
Plaintiff's Complaint. Therefore, Fulton filed Motion to Dismiss pursuant to Federal Rule of
Civil Procedure 12(b). This Brief is submitted in support of Fulton's Motion to Dismiss.
11. ISSUES PRESENTED
A. WHETHER PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED FOR
LACK OF SUBJECT MATTER JURISDICTION?
Answered in the AFFIRMATIVE by Defendant Fulton Bank.
B. WHETHER PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED FOR
IMPROPER SERVICE?
Answered in the AFFIRMATIVE by Defendant Fulton Bank.
C. WHETHER PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED FOR
FAILURE TO STATE A CLAIM UPON WHICH RELIEF MAY BE GRANTED?
Answered in the AFFIRMATIVE by Defendant Fulton Bank.
D. WHETHER PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED BASED
UPON THE EXPIRATION OF THE STATUTE OF LIMITATIONS?
Answered in the AFFIRMATIVE by Defendant Fulton Bank.
E. WHETHER PLAINTIFF'S CLAIM SET FORTH ON PAGES 80 AND 81 OF
THE COMPLAINT SHOULD BE DISMISSED FOR LACK OF STANDING?
Answered in the AFFIRMATIVE by Defendant Fulton Bank.
111. ARGUMENT
A. PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED BECAUSE THE
COURT LACKS SUBJECT MATTER JURISDICTION IN THIS CASE.
To the extent that subject matter jurisdiction over Plaintiffs claims is based upon an
alleged diversity of citizenship pursuant to 28 U.S.C. $1332, the Complaint must be dismissed.
Section $1332 requires that complete diversity exist between the parties. Grand Union
Supermarkets of V.I.. Inc. v. H.E. Lockhart Management. Inc., 316 F.3d 408 (3d Cir. 2003)
(emphasis added). In other words, in order to invoke diversity of citizenship as a basis for
federal subject matter jurisdiction, a plaintiff must show that helshe does not share citizenship
with an^ of the defendants. Owen Equipment & Erection Co. v. Kroger, 437 U.S. 365,98 S.Ct.
2396, 57 L.Ed.2d 274 (1978); Grand Union, 316 F.3d at 410. Diversity jurisdiction exists only
when all plaintiffs are of different citizenship than all defendants. Stanley v. Exxon Corn., 824
F. Supp. 52 (E.D. Pa. 1993).
It is evident from the Complaint itself that complete diversity of citizenship between
Plaintiff and all of the Defendants does not exist here. In the instant case, Plaintiff is a citizen of
the Commonwealth of Pennsylvania. However, Defendant Fulton and at least co-defendants
Lancaster County Prison, Manheim Township Police Department, Commonwealth National
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Bank, i.e. Mellon Bank, and Lancaster County Sheriffs Department are also citizens of
Pennsylvania. In other words, Plaintiffs Complaint defeats, rather than establishes, federal
subject matter jurisdiction in this action based upon diversity of citizenship.
Since Plaintiff is a citizen of the same state as numerous Defendants, complete diversity
does not exist and this Court does not have subject matter jurisdiction over the instant claim
under 28 U.S.C. $ 1332. Accordingly, to the extent that subject matter jurisdiction over
Plaintiff's claims is dependent upon diversity of citizenship, the Complaint must be dismissed.
B. PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED FOR IMPROPER
SERVICE.
As set forth above, Plaintiffs Complaint in this matter was originally filed on or about
May 16,2005. Although Fulton received a copy of the Summons, Fulton was not served with a
copy of the Complaint as required by Rule 4(m) of the Federal Rules of Civil Procedure. Upon
information and belief, none of the other Defendants were sewed with the Complaint in
accordance with the 120 day time limit set forth in Fed.R.Civ.P. 4(m) either. Accordingly, on
January 5,2006, this Honorable court issued an Order directing Plaintiff to serve Defendants
with the Summons and Complaint on or before January 25,2006. On or about January 20,2006,
Fulton received copies of the Summons and Complaint by priority mail. For the reasons set forth
below, Plaintiffs attempted service upon Fulton in this manner is deficient under the Federal
Rules and the Pennsylvania Rules of Civil Procedure. Accordingly, dismissal of Plaintiffs
Complaint is warranted.
Service of process upon individuals within a judicial district of the United States is
governed by Fed.R.Civ.P. 4(e). Rule 4(e) of the Federal Rules states:
Unless otherwise provided by federal law, service upon an individual from whom
a waiver has not been obtained and filed, other than an infant or an incompetent
person, may be effected in any judicial district of the United States: (1) pursuant
to the law of the state in which the district court is located, or in which service is
effected, for the service of the summons upon the defendant in an action brought
in the courts of general jurisdiction of the State; or (2) by delivering a copy of the
summons and of the complaint to the individual personally or by leaving copies
thereof at the individual's dwelling house or usual place of abode with some
person of suitable age and discretion then residing therein or by delivering a copy
of the summons and of the complaint to an agent authorized by appointment or
law to receive service of process.
Pennsylvania Rule of Civil Procedure 402 governs the manner of service of original
process within the Commonwealth of Pennsylvania and provides that original process may be
served:
(1) by handing a copy to the defendant; or
(2) by handing a copy (i) at the residence of the defendant to an adult member of
the family with whom he resides; but if no adult member of the family is found,
then to an adult person in charge of such residence; or (ii) at the residence of the
defendant to the clerk or manager of the hotel, inn, apartment house, boarding
house or other place of lodging at which he resides; or (iii) at any ofice or usual
place of business of the defendant to his agent or to the person for the time being
in charge thereof.
-See P a.R.Civ.P. 402(a)(l) and (2). Thus, neither Federal Rule 4(e) nor Pennsylvania
Rule 402 authorizes service by mail upon a Pennsylvania defendant. Rather, it is clear from the
language of the above-cited rules that hand delivery is required pursuant to both the Federal
Rules and Pennsylvania law for a defendant who is located within the Commonwealth of
Pennsylvania.
In the instant case, Plaintiff served Fulton with the Summons and Complaint via priority
mail at its One Penn Square, Lancaster, Pennsylvania address. Mailing copies of the Summons
and Complaint is insufficient to effect service upon Fulton under Fed.R.Civ.P. 4(e) or Pa.
R.Civ.P. 402. Accordingly, proper service has not been made upon Fulton. Additionally, the
120 day time period for service of the original Complaint has long since expired. Although the
Court's Order of January 5,2006 granted Plaintiff additional time to serve the Summons and
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Complaint, the Court warned Plaintiff that failure to serve the documents by January 25,2006
1558383.15would result in dismissal. The requirement of proper service was implicit in the Court's
Order
granting Plaintiff such additional time. Since Plaintiff has not properly served Fulton and has not
made a showing of good cause for his failure to timely perfect service, See e.g. Barrett v. City of
Allentown, 152 F.R.D. 46,49 (E.D. Pa. 1993) (plaintiffs' pro se status or lack of knowledge of
procedural rules does not constitute good cause for failing to effect proper service), Plaintiffs
Complaint should be dismissed in its entirety.
C. PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED FOR FAILURE TO
STATE A CLAIM UPON WHICH RELIEF MAY BE GRANTED.
To assert a claim under federal law, a plaintiff is required to plead the facts supporting his
or her claim in a short and plain statement. Fed.R.Civ.P. 8(a)(2). To survive a motion to dismiss
for failure to state a claim, the plaintiff must allege sufficient specific facts giving rise to the
cause of action to put the defendant on notice of the essential elements of the plaintiffs cause of
actio ,n-. 785 F.2d 65 (3d Cir. 1985). When considering a motion to dismiss
pursuant to Federal Rule of Civil Procedure 12(b)(6), the court must accept all the factual
allegations as true and construe the complaint in the light most favorable to the plaintiff. Robb v.
Citv of Phila., 733 F.2d 286,291 (3d Cir. 1984). However, a court must dismiss the claims
against a defendant when it appears with certainty that the plaintiff can establish no set of facts
which would entitle the plaintiff to relief. Hishon v. Kina & Spalding, 467 U.S. 69,73 (1984);
Colbum v. Upper Darby Township, 838 F.2d 663 (3d Cir. 1988).
In the instant case, the Complaint filed by Plaintiff consists of eighty-seven (87) pages of
single-spaced text. In those 87 pages, Fulton is only mentioned on Pages 55,56,80,81 and 86.
On Pages 55 and 56 of the Complaint, Plaintiff alleges that on August 2, 1990, Fulton
"embezzled $5,000 from the checking account of Stan Caterbone due to an error by Fulton
1558383.1
Bank's accounting" and "refused to credit the account for more than 60 days, without crediting
the lost interest income." On Pages 80 and 81, Plaintiff alleges that in 1996, his brother, Tom
Caterbone, presented a check for deposit to Fulton on at least three (3) occasions and that Fulton
refused to deposit the check on each occasion because there were insufficient funds in the
account from which the check was to be drawn. On Page 86, Plaintiff merely alleges that Fulton
is a limited partner in Penn Square Partners. Plaintiff makes no other allegations against Fulton
in his Complaint.
In its present form, the Complaint contains only vague assertions of "fact" and does not
identify any clear legal theory under which Plaintiff seeks relief. Based on the foregoing
allegations, it is difficult to even speculate as to what claims Plaintiff is attempting to assert
against Fulton in the Complaint. To the extent, however, that Plaintiffs allegations against
Fulton on Pages 55 and 56 of the Complaint are an attempt to set forth a claim for unjust
enrichment, this claim must fail.
Unjust enrichment is a quasi-contractual doctrine based in equity. Wiemik v. PHH U.S.
Mortgage Corp., 736 A.2d 616,622 (Pa. Super. 1999), appeal denied, 561 Pa. 700,751 A.2d 193
(2000). Where unjust enrichment is found, the law implies a contract which requires the
defendant to pay to the plaintiff the value of the benefit conferred. Schenck v. K.E. David. Ltd.,
446 Pa. Super. 94,666 A.2d 327 (1995), appeal denied, 544 Pa. 660,676 A.2d 1200 (1996).
The elements necessary to prove unjust enrichment are: (1) benefits conferred on a defendant by
plaintiff; (2) appreciation of such benefits by defendant; and (3) acceptance and retention of the
benefit without payment of value. Wiernik, 736 A.2d at 622. Applying these elements to the
allegations made by Plaintiff on Pages 55 and 56, it is clear that Plaintiff has failed to adequately plead
a claim of unjust enrichment. Nowhere in the Complaint does Plaintiff allege that Fulton appreciated
or recognized the benefit of the allegedly "embezzled" $5,000; rather, the Complaint makes clear that
the "embezzlement" by Fulton was the result of an accounting error of which Fulton was not aware,
not an intentional act by Fulton.
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Nor does Plaintiff allege that Fulton accepted or retained any benefit without payment of value
to him. To the contrary, it is clear from Plaintiffs Complaint that Fulton corrected the error and
credited the $5,000 back to Mr. Caterbone's account. Accordingly, Plaintiff has suffered no loss
and Fulton has gained no benefit as a result of the alleged accounting error.
Even accepting the above-referenced allegations of Plaintiffs Complaint as true, the
Complaint fails to state a valid claim for unjust enrichment. Accordingly, dismissal of the cause
of action set forth on Pages 55 and 56 of Plaintiffs Complaint for failure to state a claim upon
which relief may be granted is warranted and appropriate.
Like his allegations on Pages 55 and 56, the specific claim being advanced by Plaintiff on
Pages 80 and 81 of the Complaint is also unclcar. Plaintiff alleges that in 1996, his brother, Tom
Caterbone, presented a check for deposit to Fulton on several occasions and Fulton refused to
deposit the check because there were insufficient funds in the account from which the check was
to be drawn. Plaintiff provides no M e r support for this claim. Without further elaboration of
Plaintiffs claim, Fulton is again left to speculate as to what cause of action Plaintiff is
attempting to assert. Based on the allegations made on Pages 80 and 81 of the Complaint, it is
believed that Plaintiff may be trying to set forth a claim for common law fraud. However, the
allegations set forth on Pages 80 and 81 fail to properly state such a claim against Fulton.
Rule 9(b) of the Federal Rules of Civil procedure provide that "[iln all averments of fraud
or mistake, the circumstances constituting fraud or mistake shall be stated with particularity."
See Fed.R.Civ.P. 9(b). The United States Court of Appeals for the Third Circuit has held that
Rule 9(b) requires plaintiffs to plead with particularity the "circumstances" of the alleged fraud
in order to place the defendants on notice of the precise misconduct with which they are charged,
and to safeguard defendants against spurious charges of immoral or fraudulent behavior. &dk
Indus. Mach. Com. v. Southmost Mach. Corn., 742 F.2d 786,791 (3d Cir. 1984), cert. denied,
469 U.S. 121 1 (1985). The rule is satisfied where some precision and some measure of
substantiation is present in the pleadings. Killian v. McCulloch, 850 F.Supp. 1239, 1254
(E.D.Pa. 1994).
The elements of common law fraud are: (1) a representation made by the defendant; (2)
which is material to the transaction at hand; (3) made falsely, with knowledge of its falsity or
recklessness as to whether it was true or false; (4) with the intent of misleading another into
relying on it; (5) justitiable reliance on the misrepresentation; and (6) damage to the plaintiff as a
result of such reliance. Gibbs v. Ernst, 538 Pa. 193,207, 647 A.2d 882, 889 (1994). As
demonstrated below, Plaintiff has failed to plead all of the necessary elements of common law
fraud with suf?icient specificity to support such a claim.
Even accepting Plaintiffs allegations as true, it is clear from the Complaint that Fulton
made no representations, false or otherwise, to Plaintiff regarding the check at issue. Rather, by
Plaintiffs own admission, the check referenced on Pages 80 and 81 of the Complaint was made
payable to and was presented to Fulton by Plaintiffs brother, Tom Caterbone, not Plaintiff. Nor
has Plaintiff pled any justifiable reliance by him on the alleged representations made by Fulton
regarding the refusal to deposit the check. Again, the Complaint demonstrates on its face that it
was Plaintiffs brother who presented the check to Fulton and was told that it could not be
deposited because there were insufficient funds in the account fiom which the check was to be
drawn. Finally, Plaintiff has not alleged, and cannot prove, any resulting damage or injury to
him caused by his reliance on Fulton's alleged representations. Accordingly, dismissal of the
cause of action set forth on Pages 80 and 81 of Plaintiffs Complaint is appropriate for failure to
state a claim upon which relief may be granted.
Finally, Plaintiffs allegation that Fulton is a limited partner in Penn Square Partners,
without more, is insufficient to state a claim against Fulton upon which relief may be granted.
Accordingly, dismissal of Plaintiffs Complaint in its entirety is warranted and appropriate.
D. PLAINTIFF'S COMPLAINT SHOULD BE DISMISSED BASED UPON THE
EXPIRATION OF THE STATUTE OF LIMITATIONS.
The statute of limitations is typically raised as an affirmative defense in a responsive
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pleading under Fed.R.Civ.P. 8(c). However, where it appears fiom the face of the pleading that
the complaint is time-barred, a motion to dismiss for failure to state a claim is proper. Oshiver v.
Levin, Fishbein, Sedran & Berman, 38 F.3d 1380, 1384-85 (3d Cir. 1994), on remand, 910 F.
Supp. 225. See also Sabo v. Parisi, 583 F. Supp. 1468 (E.D. Pa. 1984). Therefore, in addition to
the above-cited reasons, Plaintiffs Complaint should also be dismissed pursuant to Fed.R.Civ.P.
12(b)(6) because the Complaint demonstrates, on its face, that the statute of limitations on
Plaintiffs claims against Fulton has expired.
The facts as pled in the Complaint on Pages 55-56 and 80-81 clearly demonstrate that
Plaintiffs claims date back to 1990 and 1996, respectively. It is also apparent from the
Complaint that Plaintiff was aware of the facts giving rise to his asserted claims at the time of
1558383.110their occurrence, i.e. in 1990 and 1996. It is well settled that a four-year statute of
limitations
governs claims for unjust enrichment, Cole v. Lawrence, 701 A.2d 987,989 (Pa. Super. 1997),
uppeal denied, 555 Pa. 738,725 A.2d 1217 (1998) (unjust enrichment claim action is subject to a
four-year statute of limitations, as it constitutes a contract implied-in-law) while the statute of
limitations for common law fraud is two-years. Calle v. York Hospital, 232 F.Supp.2d 353,35960 (M.D.Pa. 2002); Fine v. Checcio, 870 A.2d 850,857 (Pa. 2005) (statute of limitations for
common law fraud is two-years and begins to run from the moment the right to bring an action
arises, regardless of lack of knowledge, mistake or misunderstanding).
It is evident from the face of the Complaint that the events in question occurred anywhere
from 10 to 15 years ago, not within the four or two-year limitation period allowed for Plaintiffs
unjust enrichment and fraud claims.' Since the statute of limitations on Plaintiffs claims has
expired, Plaintiff's claims are time-barred and the Complaint should be dismissed, with
prejudice, for failure to state a claim upon which relief may be granted.
E. PLAINTIFF'S CLAIM SET FORTH ON PAGES 80 AND 81 OF THE
COMPLAINT SHOULD BE DISMISSED FOR LACK OF STANDING.
Standing is a threshold question in every federal case, determining the power of the court
to entertain the suit. Warth v. Seldin, 422 U.S. 490,498,95 S.Ct. 2197,2205 (1975). In order to
establish standing in a federal court "[a] plaintiff must allege personal injury fairly traceable to
' Even if this Court finds that Plaintiffs allegations attempt to set forth causes of action other than
unjust
enrichment andor common law fraud, Fulton submits that Plaintiffs claims are still barred by the
statute
of limitations. See In re Mushroom Transv. Co.. lnc., 382 F.3d 325,336 (3d Cir. 2004) (two-year
statute of limitations govems breach of fiduciary duty claims); Calihan v. A.E.V.. Inc., 182 F.3d
237,246
n.7 (3d Cir. 1999) (two-year statute of limitations governs civil conspiracy claims); Santana Products,
Inc.
v. Bobrick Washroom Eauip., Inc., 401 F.3d 123, 138-39 (3d Cir. 2005), cerf. denied, 126 S.Ct. 734
(2005) (a claim brought under Pennsylvania's Unfair Trade Practices and Consumer Protection Law is
subject to a six-year statute of limitations).
the defendant's allegedly unlawful conduct and likely to be redressed by the requested relief."
Allen v. Wright, 468 U.S. 737, 750, 104 S.Ct. 3315 (1984). In the area of standing, the United
States Supreme Court "has consistently stressed that a plaintiffs complaint must establish that he
has a 'personal stake' in the alleged dispute, [and] that the alleged injury suffered is
particularized as to him." Raines v. Byrd, 521 U.S. 81 1, 819, 117 S.Ct. 2312 (1997). It is also
well established that an "abstract injury" or "generalized grievance" is insufficient to meet the
requisite standing requirements. Streater v. U.S. Devt. of trans^., No. 95-2162, 1996 WL
134807 at *4 (E.D.Pa. March 25,1996). Additionally, the party who seeks the exercise of
jurisdiction in his favor has the burden of clearly alleging facts demonstrating that he is a proper
party to invoke judicial resolution of the dispute. FWtPBS, Inc. v. Citv of Dallas, 493 U.S. 215,
231, 110 S.Ct. 596,608 (1990).
In the instant case, Plaintiff has not alleged that he has suffered any particularized
personal injury in relation to the claim set forth on Pages 80 and 81 of the Complaint. In
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essence, through his allegations, Plaintiff simply voices his disapproval over Fulton's handling of
the check presented by his brother. This "generalized grievance" is insufficient to establish
standing in this Court. Plaintiff also has failed to establish that he is the proper party to bring an
action on behalf of his deceased brother. Plaintiff is not the Executor of the Estate of Tom
Caterbone. Rather, Plaintiffs other brother, Steven Caterbone, was appointed the personal
representative of the Estate. Additionally, Plaintiff has brought the claim in his own name and
not on behalf of his brother. Since Plaintiff has failed to allege or demonstrate any personal
stake or particularized injury related to the allegations on Pages 80 and 81 of the Complaint that
would give him standing, this claim should be dismissed pursuant to Rule 12(b)(l).
IV. CONCLUSION
Based on the above cited authorities and reasoning, Defendant Fulton Bank respectfully
requests that this Honorable Court grant its Motion and dismiss Plaintiffs Complaint in its
entirety with prejudice.
BARLEY SNYDER, LLC
Dated: February 9,2006 By: /sl Stephanie Carflev
Stephanie Carfley, Esquire
Attorneys for Defendant Fulton Bank
126 East King Street .
Lancaster, PA 17602-2893
(717) 299-5201

CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing Brief in Support of Motion to
Dismiss has been served this 9th day of Februaw ,2006, by first class mail, postage prepaid, upon:
Stanley Caterbone
220 Stone Hill Road
Conestoga, PA 175 16
Lancaster County Prison
625 East King Street
Lancaster, PA 17602-3 199
Stone Harbor Police Department Avalon Police Department
9508 Second Avenue 3088 Dune Drive
Stone Harbor, NJ 08247 Avalon, NJ 08202
George M. Gowen, 111, Esquire Lancaster County Sheriff's Department
Cozen O'Connor 50 North Duke Street
1900 Market Street P.O. Box 83480
Philadelphia, PA 191 03 Lancaster, PA 17608-3480
Christopher S. Underhill, Esquire
Hartman, Underhill & Brubaker, LLP
221 East Chestnut Street
Lancaster, PA 17602
The foregoing document has also been filed electronically and is available for viewing
and downloading on the ECF system.
BARLEY SNYDER LLC
By: Is/ Stephanie Carfley
Stephanie Carfley, Esquire
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Attorneys for Defendant Fulton Bank
126 East King Street
Lancaster, PA 17602-2893
(717) 299-5201
Court I.D. No. 79136

126 East King Street


Lancaster, PA 17602-2893
Te1717.299.5201 Fax 717.291.4660
www.barley.com
Stephanie Carney. Esquire
Direct Dial Number: 7 17.399.1536
E-mail: scarflcy@harley.com
February 9,2006
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 175 16
Re: Stanley J. Caterbone v. Fulton Bank, et al.
Dear Mr. Caterbone:
Enclosed please find a copy of a Praecipe to Enter Appearance, Motion to Dismiss
Plaintiffs Complaint and Brief in Support thereof, the originals of which have been
electronically filed this date.
Very truly yours,
SCIkat: 1559986.1
Enclosures
cc: George M. Gowen, 111, Esquire
Christopher S. Underhill, Esquire
Lancaster County Prison
Stone Harbor Police Department
Avalon Police Department
Lancaster County Sheriffs Department

Lancaster . York Harrisburg. Reading. Benvyn Hannver Chambersburg

/ Other Documents
2:05-cv-02288-MAM CATERBONE v. LANCASTER COUNTY PRISON et al

United States District Court


Eastern District of Pennsylvania
Notice of Electronic Filing
The following transaction was received from CARFLEY, STEPHANIE entered on 2/9/2006 at 1 :47
PM EST and filed on 2/9/2006
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Case Name: CATERBONE v. LANCASTER COUNTY PRISON et al
Case Number: 2:05-cv-2288
Filer: FULTON BANK
Document Number: 16
Docket Text:
Praecipe to Enter Appearance by FULTON BANK. (CARFLEY, STEPHANIE)
The following document(s) are associated with this transaction:
Document description:Main Document
Original filename:n/a
Electronic document Stamp:
lSTAMP dcecfStamv ID=1001600548 IDate=2/9/20061 IFileNumber-1881532-01
2:05-cv-2288 Notice will be electronically mailed to:
STEPHANIE CARFLEY scarfley@barley.com, kgarner@barley.com; tranck@barley.com;
eastemdistrict@barley.com GEORGE M. GOWEN, 111 ggowen@cozen.com CHRISTOPHER S.
UNDERHILL chrisu@hublaw.com,
2:05-cv-2288 Notice will be delivered by other means to:
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE,
Plaintiff
LANCASTER COUNTY PRISON, MANHEIM :
TOWNSHIP POLICE DEPARTMENT, STONE :
HARBOR POLICE DEPARTMENT, AVALON : JURY TRIAL DEMANDED
POLICE DEPARTMENT, COMMONWEALTH :
NATIONAL BANK (i.e. MELLON BANK),
SOUTHERN REGIONAL POLICE
DEPARTMENT, LANCASTER COUNTY
SHERIFFS DEPARTMENT, FULTON BANK :
Defendant

PRAECIPE TO ENTER APPEARANCE


Kindly enter the appearance of Stephanie Carfley, Esquire of Barley Snyder LLC on behalf of Fulton
Bank in the above matter. Please serve all papers at 126 East King Street, Lancaster, PA 17602.

BARLEY SNYDER, LLC


Dated: February 9,2006 By: Is/ Stephanie Carflev
Stephanie Carfley, Esquire
Attorneys for Defendant Fulton Bank
126 East King Street
Lancaster, PA 17602-2893
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(717) 299-5201
Court I.D. No. 79136

CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing Praecipe to Enter Appearance has
been sewed this 9th day of February, 2006, by first class mail, postage prepaid, upon:
Stanley Caterbone
220 Stone Hill Road
Conestoga, PA 1751 6
Lancaster County Prison
625 East King Street
Lancaster. PA 17602-3 199
Stone Harbor Police Department Avalon Police Department
9508 Second Avenue 3088 Dune Drive
Stone Harbor, NJ 08247 Avalon, NJ 08202
George M. Gowen, 111, Esquire Lancaster County Sheriffs Department
Cozen O'Connor 50 North Duke Street
1900 Market Street P.O. Box 83480
Philadelphia, PA 191 03 Lancaster, PA 17608-3480
Christopher S. Underhill, Esquire
Hartman, Underhill & Brubaker, LLP
22 1 East Chestnut Street
Lancaster, PA 17602
The foregoing document has also been filed electronically and is available for viewing
and downloading on the ECF system.
BARLEY SNYDER LLC
By: /s/ Stephanie Carfley
Stephanie Carfley, Esquire
Attorneys for Defendant Fulton Bank
126 East King Street
Lancaster, PA 17602-2893
(717) 299-5201
Court I.D. No. 79136

February 10, 2006


Friday
7:30 AM - 9:30 AM

Chamber Annual Business Mtg -- Willow Valley Resort

8:00 AM - 8:00 AM

Drew Anthon Motion Due

Richard S. Solove, Esquire


McNEES WALLACE & NURICK LLC
180 Good Drive
Lancaster, PA 17603
(717) 291-1177
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Attorney I.D. #I7717
Attorney for Defendants
IN THE COURT OF COMMON PLEAS OF LANCASTER COUNTY, PENNSYLVANIA
CIVIL ACTION
PROJECT HOPE/ADVANCED
MEDIA GROUP
220 Stone Hill Road
Conestoga, PA 1751 6
Plaintiff
Civil Action Law
DREW ANTHON, EDEN RESORT INN j
AND CONFERENCE
222 Eden Road
Lancaster, PA 17601
Case No.CI-05-03644
PRELIMINARY OBJECTIONS OF DEFENDANTS
Defendants, by and through their attorney, Richard S. Solove, hereby files
Preliminary Objections to the Complaint on the following grounds:
1. Plaintiff's complaint fails to allege facts sufficient to establish a cause of action.
2. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1018 (b), in that the Complaint is not properly captioned.
NO. 05-03644
3. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1018.1, in that the Complaint does not contain a Notice to
Defend.
4. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1019 (a), in that the material facts were not stated in a concise
and summary form.
5. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1021, in that the Complaint does not specify the relief sought,
and does not state whether the amount claimed does or does not exceed the
jurisdictional amount requiring arbitration or referral by local rule.
6. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1024, in that the Complaint is not verified.
7. Plaintiff's Complaint fails to conform to the Pennsylvania Rules of Civil
Procedure, Rule 1022, in that the Plaintiff's Complaint is not divided into
consecutively numbered paragraphs.
WHEREFORE, Defendants respectfully request that Plaintiff's Complaint be dismissed.
Respectfully submitted,
WNees Wallace & Nurick LLC
RICHARD S. SOLOYE
Attorney I/D No. 1771 7
180 Good Drive
Lancaster, Pennsylvania 17603
(71 7) 291 -1 177
Attorneys for Defendants
CERTIFICATE OF SERVICE
I hereby certify that I am this day serving a copy of the foregoing docurnent(s)
upon the person(s) and in the manner indicated below:
SERVICE BY FIRST CLASS MAIL ADDRESSED AS FOLLOWS:
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Stanley Caterbone
Project Hopel Advanced Media Group
220 Stone Hill Road
Conestoga, PA 1751 6
S. SOLOVE
Attorney I/D No. 17717
Attorney for Defendants
Dated: 1/23/2006

1:00 PM - 1:30 PM

Comcast Cable -- South Duke Street, Lancaster, PA

Took back digital box for replacement, gave colored woman bankruptcy papers for her
superior, was again going to turn off cable.
1:30 PM - 2:00 PM

Drew Anthlon Notice of Items feb 10 2006 -- Lancaster County Courthouse, Lancaster, PA 17603

IN THE COURT OF COMMON PLEAS LANCASTER COUNTY,


PENNSYLVANIA
CIVIL DIVISION

PROJECT HOPE
ADVANCED MEDIA GROUP
220 Stone Hill Road
Conestoga, PA 17516
Plaintiff

Case No. CI-05-03644

DREW ANTHON,
(MA)EDEN RESORT INN
222 Eden Road
Lancaster, PA 17601
Defendant
NOTICE
ITEMS FOR CLAIM
Plaintiff files the following ITEMS FOR CLAIM.
1.

Plaintiff filed the civil action in good faith and did suffer substantial stress related
health problems that
that were triggered when the Plaintiff read the Lancaster
Newspapers Intelligencer article regarding the same (Tea Party) as well as
business financial losses.

2.

Medical Expenses from Lower Back Pain Due To Stress Excelsior Place Business Plan Fees $7,000.00
UPS Store Lost Opportunity -

$5,184.00

SUB TOTAL

$10,000.00
___________
$22,118.00

ATTORNEY FEES AND ADMINISTRATION -

2,000.00

TOTAL -

$24,118.00

I hereby certify that appropriate Notices Items For Claim has been mailed in accordance with
PA R.C.P. 237.1 on the dales indicated on the Notices.
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STAN J. CATERBONE
PROJECT HOPE
ADVANCED MEDIA GROUP
By:______________________________
STAN J. CATERBONE, Pro Se
DREW ANTHON,
(MA)EDEN RESORT INN
Plaintiffs address is:
Stan J. Caterbone, 220 Stone Hill Road, Conestoga, PA 17516 And that the last know11 address of
the Defendant is: 222 Eden Road, Lancaster, PA 17601

IN THE COURT OF COMMON PLEAS LANCASTER COUNTY,


PENNSYLVANIA
CIVIL DIVISION

PROJECT HOPE
ADVANCED MEDIA GROUP
Plaintiff

Case No. CI-05-03644

DREW ANTHON,
(MA)EDEN RESORT INN
Defendant
NOTICE OF JUDGMENT OR ORDER

TO:

( ) Plaintiff
(XX) Defendant
( )Garnishee
You are hereby notified that the following
Order or Judgment was entered against you
On January 20, 2006
(XX)

Assumpsit Judgment in the amount


of $11,000 plus costs.

( )

Trespass Judgment in the amount


of $_________ plus costs.

( )
If not satisfied within sixty (60)
days, your motor vehicle operator'$ license and/or registration
will be suspended by the Department of Transportation, Bureau
of Traffic Safety, Harrisburg, PA
(XX) Entry of Judgment of
( ) Court Order
( ) Non-Pros
( ) Confession
(xx) Default
( ) Verdict
( ) Arbitration
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Prothonotary
By: ______________________________
PROTHONOTARY (OR DEPUTY)
DREW ANTHON,
(MA)EDEN RESORT INN
222 Eden Road, Lancaster, PA 17601
Plaintiffs address is:
Stan J. Caterbone, 220 Stone Hill Road, Conestoga, PA 17516 717-799-5915
IN THE COURT OF COMMON PLEAS LANCASTER COUNTY, PENNSYLVANIA
CIVIL DIVISION
PROJECT HOPE
ADVANCED MEDIA GROUP
Plaintiff

Case No. CI-05-03644

DREW ANTHON,
(MA)EDEN RESORT INN
Defendant
IMPORTANT NOTICE
TO:

DREW ANTHON,
(MA)EDEN RESORT INN
222 Eden Road, Lancaster, PA 17601

Date of Notice: January 20, 2006


YOU ARE IN DEFAULT BECAUSE YOU HAVE FAILED TO ENTER A WRITTEN
APPEARANCE PERSONALLY OR BY ATTORNEY AND FILE IN WRITING WITH THE COURT
YOUR DEFENSES OR OBJECTIONS TO THE CLAIMS SET FORTH AGAINST YOU UNLESS
YOU ACT WITHIN TEN DAYS FROM THE DATE OF THIS NOTICE, A JUDGMENT MAY BE
ENTERED AGAINST YOU WITHOUT A HEARING AND YOU MAY LOSE YOUR PROPERTY
OR OTHER IMPORTANT RIGHTS. YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT
ONCE. IF YOU DO NOT HAVE A LAWYER, GO TO OR TELEPHONE THE FOLLOWING
OFFICE SET FORTH BELOW. THIS OFFICE CAN PROVIDE YOU WITH INFORMATION
ABOUT HIRING A LAWYER. IF YOU CANNOT AFFORD TO HIRE A LAWYER, THIS OFFICE
MAY BE ABLE TI PROVIDE YOU WITH INFORMATION ABOUT AGENCIES THAT MAY
OFFER LEGAL SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE.
LANCASTER COUNTY COURT ADMINISTRATOR'S OFFICE
50 NORTH DUKE STREET
P.O. BOX 3480
LANCASTER, PA 17602
(717) 299-8041
BY: _______________________________
STAN J. CATERBONE
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PROJECT HOPE/ADVANCED MEDIA GROUP
220 Stone Hill Road
Conestoga, PA 17516
717-799-5915

make the following civil complaint against the defendant, Drew Anthon and Eden Resort Inn and
Conference Center:
Plaintiff alleges Drew Anthon and the Eden Resort Inn and Conference Center has colluded to
sabotage the Downtown Lancaster Convention Center project by organizing a formal request and
soliciting support to certain Lancaster County Hoteliers to voluntarily withhold the payment of the
Lancaster County Hotel Room Tax, thereby placing the financial interests of the Business Plan for
the Excelsior Property of East King Street and the Rights to develop a UPS Store in or around the
Downtown Lancaster Convention Center at extreme risk.
Plaintiff will argue that such financial risk is causing mental stress and duress, that otherwise would
not be present, had the defendant not engaged the above-mentioned activities.

Plaintiff seeks the Commonwealth of Pennsylvania to place a sees and desist order against the
defendants actions to withhold the Hotel tax until the defendants can prove to the Commonwealth the
said actions are in the best interests of the Plaintiffs interests and those of all major stakeholders of the
proposed Downtown Lancaster Convention Center, including the School District of Lancaster, the City
of Lancaster, the County of Lancaster, Penn Square Partners, as well as others. Thus the defendants
must prove that the Downtown Lancaster Convention Center will fail.
Plaintiff submits the following exhibits for considerations of the Courts:
?? The major pages of the website of Advanced Media Group
?? The Excelsior Place Business Plan
?? The Agreement Between Art Ward, Owner of the UPS Store and Stan Caterbone

Plaintiff seeks a jury trial with damages in excess of $10,000.

Stan J. Caterbone/Project Hope/Advanced Media Group


Dated: April 26, 2005

February 11, 2006


Saturday
All Day

Jenifer A's Birthday

All Day

Sheryl's Birthday

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Saturday
1:00 PM - 1:00 PM

PA Housing NOTICE OF DECISION OF HEARING EXAMINER -- 2 1 1 N. Front Street P.O. Box 15628

PENNSYLVANIA HOUSING FINANCE AGENCY


Homeowners' Emergency Mortgage Assistance Loan Program
2 1 1 N. Front Street
P.O. Box 15628
Harrisburg, Pennsylvania 17105-1 5628
(717) 780-3957
TDD# For Hearing Impaired (717) 780-1869
February 9,2006
Stan J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
RE: NOTICE OF DECISION OF HEARING EXAMINER
Dear Mr. Caterbone:
On December 12, 2005 the Pennsylvania Housing Finance Agency issued a Notice of
Adverse Action and a denial of your request for a mortgage assistance loan pursuant to the
provisions of Act 91 of 1983. On December 15, 2005 the Agency was in receipt of your
request
for an appeal from its decision and an opportunity for a hearing to contest the Agency's denial
of a
mortgage assistance loan.
A hearing was held on January 18, 2006 at which time you had an opportunity to discuss
your situation before a Hearing Examiner. The Hearing Examiner's decision is as follows:
The Appellant's application for an emergency mortgage assistance loan was initially denied
on the following grounds:
1. No reasonable prospect of applicant resuming full mortgage payments within
twenty-four (24) months and paying mortgage(s) by maturity based on:
Applicant's income has been insufficient to maintain mortgage for the past two
(2) years. Total monthly expenses: $3268. 2002 net monthly income: loss.
2003: $0, 2004: extension. (Act 91, Section 404-C(A)).
2. No reasonable prospect of applicant resuming full mortgage payments within
twenty-four (24) months and paying mortgage@) by maturity based on:
Applicant is financially overextended based upon income history. (Act 91,
Section 404-C(A)).
3. Property securing mortgage is not a one- or two-family owner-occupied
residence based on: The secured property is used primarily for commercial or
business purposes. Per applicant, 65% of secured property is used for
business.
4. Applicant is not suffering financial hardship due to circumstances beyond
applicant's control based on: Applicant has asset(s) which could have been
liquidated to cure delinquency - Per applicant, has stocks andlor bonds in
business valued at $4 million. (Act 91, Section 404-C(A)).
During the course of the appeal hearing, the following facts were established:
The applicant provided the following statement with respect to the cause of the mortgage
delinquency: "These circumstances came about when I met with officials from International
Signal & Control, plc., in 1987 and became involved with agencies providing the United
States of America associated with the highest level of Intelligence and National Security. I
was called upon by ISC to help to provide financial assistance for portions of thier [sic]
operations. I immediately became
suspect of these circumstances following my meeting of June 23, 1987; and alerted various
officials of local, state, and federal authorities. It was these allegations that resulted in a
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'Billion Dollar Fraud' that was successfully prosecuted by the United State Attorney General
and the Federal Bureus [sic] of Investigation in 1990. This [sic] circumstances have been
before now, a dire problem within the scope and bounds of our National Security. These
circumstances are now
able to be adjucated within the Court of Law under the provisions and doctrines of the
Constitution
of the United States of America. During these activities, certain agencies of the intelligence
community, began extracting information on present and future issues concerning the current
state
of affairs of the United States of America."
In the appeal letter dated December 14, 2005 the homeowner made the following
statements: "My income history is the very reason that I filed Sealed Civil Complaint Case
No.
052288 in the U.S. District Courts for the Eastern District of Pennsylvania, and the reason for
filing
the Chapter 11 Bankruptcy Case No. 05-23059 United State Bankruptcy Court Easter [sic]
District
of Pennsylvania. Both cases will prove a preponderance of evidence that my current ability to
produce income is due to illegal and criminal activities that are an attempt to accomplish just
that:
deny me profits and income from my various business activities. This can be further
demonstrated
with the recent filings of Internet Fraud with the ICC unit of the Federal Bureau of
lnvestigation,
which you have already received."
During the appeal hearing Stan Caterbone testified that his ability to generate an income
has been impeded by illegal and fraudulent activities directed against him since 1987.
The homeowner testified that all legal activities are fully engaged to resolve the
delinquency-causing circumstances and to reinstate his financial earning capacity. Since
1998
Stan Caterbone has been self-employed in the Advance Media Group.
Federal income tax returns on record reflect the following income history:
Average Net
Year Total Annual Income Monthlv
Income
2002
$ 4,922
loss $ 0
2003
0
0
The homeowner indicated that he experienced a deficit or loss of income in 2004 and 2005
other than two judgments in 2005.
The homeowner was awarded a $4,000 judgment around May 2005. In 2005 the
homeowner was awarded a default judgment of $1 1,000 and needs to file the default
judgment.
In May 1995 Stan Caterbone executed a mortgage for consideration of $103,000. The
mortgage held by Fulton Bank stipulates a 30-year term and an $874 monthly payment. The
mortgage is delinquent from June I, 2005 through January 1, 2006.
The homeowner has saved $0 to apply toward the delinquency.
The total monthly housing expense of $1,094 reflects the following:
Subiect
Mortgage payment
Utilities
TOTAL
Monthly
Advanced Media Group

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February 11, 2006 Continued


Saturday
Expenditure
The monthly installment debt of $1,289 on the application reflects the following:
Subject
Citibank
Bank of America
Discover
Bank of America 2
Chase Bank
AAA Financial
Beneficial
Medical
Dental
Legal
Honda Financial
TOTAL
Monthly
Expenditure
Unpaid
Balance
In view of the inwrne history and unpaid balances of the credit card debt, it appears that
the homeowner has been financing living expenses through credit card advances.
The monthly living expenses of $885 reflect the following:
Subiect
Food
Home Phone
Cell Phone
GaslCar Repairs
Bus/Parking/Tolls
Clothing
TV Service
Home Maintenance
Auto Insurance
Entertainment
ClubslMagazineslGifts
Internet
TOTAL
Monthly
Expenditure
$ 150
50
100
125
10
25
100
50
75
100
25
75
$ 885
The total monthly expenses of $3,268 reflect the following:
Subiect
Total Monthly Housing Expense
Monthly Installment Debt
Monthly Living Expenses
TOTAL
Monthly
Ex~enditure
Advanced Media Group

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February 11, 2006 Continued


Saturday
The homeowner indicated that 15% of the property is used exclusively for business
purposes.
The foregoing findings of fact exhibit that the total monthly expenses exceed the average
monthly net effective income on record since 2002. The homeowner therefore has been
generating insufficient income to support this level of mortgage expense since 2002.
It appears that the homeowner was maintaining the mortgage through credit card advances
until the mortgage default. In light of the income history and current income the homeowner's
ability to generate sufficient income to support the subject mortgage and total monthly
expenses 1s a speculative matter. Additionally, the impact that the pending lawsuit will have
on the homeowner's earning capacity is also uncertain. In view of the record there is no
reasonable prospect of mortgagor resuming full mortgage payments within twenty-four (24)
months and paying the mortgage by maturity.
It is hereby ordered that the Pennsylvania Housing Finance Agency, Homeowners'
Emergency Mortgage Assistance Program's decision of December 12, 2005 is affirmed and
the mortgage assistance loan is denied.
Very truly yours,
Michael Cooper
Hearing Examiner
cc: file/rpk
decision file

3:00 PM - 4:30 PM

Former U.S. Deputy Attorney General Eric H. Holder Jr. -- Coretta Scott King at Bright Side Baptist
Church, 515 Hershey Ave.

A former top attorney in the U.S. Department of Justice who served during three presidential
administrations will visit Lancaster this weekend for a series of public presentations.
Former U.S. Deputy Attorney General Eric H. Holder Jr. will participate in local events
commemorating Black History Month.
At 3 p.m. Saturday, Holder will be the keynote speaker at a program honoring the late Coretta
Scott King at Bright Side Baptist Church, 515 Hershey Ave. Holder's topic will be
"Remembering Mrs. King: New Thoughts for the Future of African- American History in
American Culture." The event is sponsored by Crispus Attucks Community Center and
Lancaster NAACP, supported by St. James Episcopal Church and Bright Side Baptist Church.
Celebrated soprano and faculty member of the Pennsylvania Academy of Music, Amy
Yovanovich, will be among the performers for the program.
At 9 a.m. next Sunday, Holder will be a guest lecturer at St. James Episcopal Church, 119 N.
Duke St. A question-and-answer-session will follow his address: "The Racial/Moral Inclusion:
The Current Constitutional Debate." The program will be held at St. James Parish House.
Holder is a partner at the law firm of Covington & Burling.
Early in his career at the Department of Justice, he was assigned to the newly formed Public
Integrity Section. He served as an associate judge of the Superior Court of the District of
Columbia; he was nominated by President Ronald Reagan. He was the U.S. Attorney General
for the District of Columbia, nominated by President Bill Clinton. Holder served as deputy
attorney general from 1997 until the inauguration of President George W. Bush, and briefly
served under Bush as acting attorney general pending the confirmation of Attorney General
John Ashcroft.
For more information, call the church, 397-4858, or Cheryl D. Holland-Jones at Crispus
Attucks Community Center, 295-7801.
Advanced Media Group

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9/25/2006 10:03 AM

February 11, 2006 Continued


Saturday

February 12, 2006


Sunday
8:00 AM - 8:30 AM

Joe Roda & Diane Nast email feb 12 2006

Dear Joe and Diane:


These are the documents I currently have filed in Federal courts. I just saw you were back to
work, so I thought I should share these with you. Please understand that the quotation of my
statement to the Pennsylvania Housing Agency is not accurate. I tried to request a tape or
transcript before this notice. This quote was fabricated.
Glad to see you both back to work, and hope everything is going well.
Any questions give me a call.
Stan
Advanced Media Group
Stan Caterbone
www.amgglobalentertainmentgroup.com
amgroup01@msn.com
Fax: 717-427-1621
9:00 AM - 9:30 AM

Robert Platkin email may 13 2005

1 of 2 2/12/2006 8:47 AM
Cached messages Message 1 of 1 in conversation
Re: Do you know my cousin, Diane Nast?
From: Plotkin, Robert <rplotkin@mcguirewoods.com>
To: <amgauctions@comcast.net>
Date: May 13 2005 - 9:39am
I think you sent this to wrong Plotkin.
-------------------------Sent from my BlackBerry Wireless Handheld
-------------------------This e-mail may contain confidential or privileged information. If you are not the intended
recipient,
please advise by return e-mail and delete immediately without reading or forwarding to
others.
-----Original Message----From: Stan Caterbone <amgauctions@comcast.net>
To: Plotkin, Robert <rplotkin@mcguirewoods.com>

Sent: Tue Mar 29 04:50:32 2005


Subject: Do you know my cousin, Diane Nast?
Hello Stan,
I think you have a decent case. Some things can be done different. I
happen to work with the very best lawyers around the country. You can't
hire an attorney from your area and expect to have a great case it just
doesn't happen because you do not know if they are going to take you for
a ride or not. I happen to have 3 great lawfirms that do this type of
work but they all would require an hourly rate. First you will want to
Advanced Media Group

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February 12, 2006 Continued


Sunday
know 1 million is not enough damages. These firms go after tens of
millions regularly, Robert has filed for hundreds of millions on cases
in the past so you are not dealing with any country attorney's, your
dealing with the best of the best. I talked to Robert in short about
your case and he wants a chance to read it and then to call you. I also
talked to a couple of other lawfirms about your case as well and they
have not yet got back to me. I read your resume' and I feel that you are
justified in your actions but the fact remains it will be hard for you
to find a decent attorney to handle your case properly. What I would
suggest is you can use a great lawfirm for the case and someone as local
counsel that would work on a contingency there. So on one hand you would
have a power hitter and you would catch them with their pants down and
potentionally get your case reversed. Otherwise the outcome looks that
the case could be unsatisfactory. Anymore in the legal community the
facts are is you get what you pay for. Most attorney's want to take 40%
plus expenses across the board but only want to do 10% worth of work on
the case. I try to work with lawfirms that do 60% of the work because I
am only as good as the people I work with. I hope that this helps, Alan.
Robert Plotkin 312-255-1220 or 312-255-1409
Google Desktop: Re: Do you know my cousin, Diane Nast? http://127.0.0.1:4664/cache?event_id=
96054&schema_id=1&q=nast&s...
2 of 2 2/12/2006 8:47 AM
Search nast
Google Desktop Home - Privacy - Index Status - About - 2005 Google

February 13, 2006


Monday
2:00 PM - 2:30 PM

Comcast Cable -- South Duke Street Lancaster

Again went to Comcast after digital service was again shutt off. Again, another useless
phone call to customer service.
Told them that Mable of the Legal dept processed bankruptcy order. After about 20 minutes,
said service was restored.

February 16, 2006


Thursday
10:00 AM - 10:30 AM

PA Housing Finance Letter -- NOTICE OF DECISION OF HEARING EXAMINER

Advanced Media Group


220 Stone Hill Road
Conestoga, PA 17516
S.S. #: 200-46-6095
Chief Counsel - HEMAP Hearing Request,
PHFAIHEMAP,
21 1 North Front Street,
Advanced Media Group

99

9/25/2006 10:03 AM

February 16, 2006 Continued


Thursday
P.O. Box 15628,
Harrisburg, PA, 17105-5628
Facsimile: 717-780-4031

February 16, 2006

Re:

NOTICE OF DECISION OF HEARING EXAMINER

For the record, I did not provide the statements in the report as you have determined.
I protest the accuracy of the statements that were reported in the Decision, and formally
request a copy of the tape recording. I also have determined there are several inaccuracies
concerning the facts that were established.
Given that you a Federally funded program, what courts would have jurisdiction in
any appeals that may follow?

Respectfully,

Stan Caterbone
Cc:

Judge Mary McLaughlin,


Judge Thomas Twardowski,
File

February 18, 2006


Saturday
9:00 AM - 12:00 AM

Mardi Gras - New Orleans

February 19, 2006


Sunday
All Day

Mardi Gras - New Orleans


Please See Above

February 20, 2006


Monday
All Day

Mardi Gras - New Orleans


Please See Above

February 21, 2006


Tuesday
All Day

Mardi Gras - New Orleans


Please See Above

Advanced Media Group

100

9/25/2006 10:03 AM

February 21, 2006 Continued


Tuesday
9:30 AM - 11:30 AM

Futlon Hearing in Reading -- Bankruptcy Court, Reading, PA

1. If you do not want the court to grant the relief sought in the motion or if you want the
court to consider your views on the motion, then on or before February 8, 2006 you or your
attorney must do & of the following:
(a) File an answer explaining your position at
The Madison Building
400 Washington Street, 3" Floor
Reading, PA 19601
If you mail your answer to the bankruptcy clerk's office for filing, you must mail; it early
enough so that it will be received on or before the date stated above; and
(b) mail a copy to the movant's attorney:
Shawn M. Long, Esquire
Barley Snydcr, LLC
126 East King Street
Lancaster, PA 17602
Telephone: (717) 399-1512
Facsimile: (717) 291-4660
2. If you or your attorney do not take the steps described in paragraphs l(a) and l(b)
above and attend the hearing, the court may enter an order granting the relief requested in the
motion.
3. A hearing on the motion is scheduled to be held before the Honorable Thomas M.
Twardowski

on February 21, 2006, at 9;30 a.m. in Courtroom 1, United States Bankruptcy


Court, 400 Washington Street, Reading, PA 19603.
4. If a copy of the motion is not enclosed, a copy of the motion will be provided to
you if you request a copy rom the attorney named in paragraph 10).
5. You may contact the Bankruptcy Clerk's office at 610-320-5255 to find out
whether the hearing has been canceled because no one filed an answer.
Date: January 24,2006

Judge Twardoski no show


Ipod stolen in courtroom by woman beside me
Security guard picks me up and takes me down to lobby
Ipod found in security check
Security guards (4)pick me up and throw me out

February 22, 2006


Wednesday
All Day

Mardi Gras - New Orleans


Please See Above

8:00 AM - 8:00 AM

Deadline Judge Twardowski Feb 2 Order

9:00 AM - 9:30 AM

Visit Comcast to confirm appt. -- Comcast n. duke street

10:00 AM - 11:00 AM

Lancaster County Commissioners Meeting -- Lancaster County Courthouse

Art Morris, and Planning Commission. Walked out after hearing they awarded the
consultants bid 1 week before RFP was due.

Advanced Media Group

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9/25/2006 10:03 AM

February 22, 2006 Continued


Wednesday
11:30 AM - 12:30 PM

Bball at F&M -- F&M College

1:00 PM - 1:30 PM

Suburban Cable Appt -- 200 Stone Hill Road

Cable modem turned on before Comcast tech even entered my office, how could that
happen? Blue light on vonoge modem was lit for first time since Friday, the week before.

February 23, 2006


Thursday
All Day

Mardi Gras - New Orleans


Please See Above

February 24, 2006


Friday
All Day

Mardi Gras - New Orleans


Please See Above

All Day

Received Leo Eckert summons from Conestoga Police

COUNTY OF: Lancaster


k g . Disl. b.:
02-2-06
M0.J Mmo: Hon.
LEO H. ECXERT, JIL
Md"a: 841 ST- ROAD
H I L L ~ V I U , PA
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT: NAME and ADDRESS
~CJLTIPBS~T,AU LEY J.
220 STOHX HILL ROAD
COlRES-, PA 17516
Date Filed: 2/06/06
L
BT- J. CATIPBm
220 smmE HILL ROAD
mSTOGA, PA 17516
REQUEST FOR SUSPENSION OF DRIVING PRIVILEGE FOR
FAILURE TO RESPOND TO A CITATION OR SUMMONS
OR-PAY FINES AND COSTS IMPOSED oate of add lttolral notice:
2/11/06
a citation or summons or wy any fines and costs imposed for a violation of the section of the
Pennsylvania Vehicle
tation and pay the fine, casts, and penalties shown, or post security for a trial within 15 days
of
to the Depalbnent of Transportation, which will suspend your driving privilege until you
respond to
nalties imposed. If the Total Due is not specified, you will need to contact the District Court If
your
additional costs to restore your operating privileges.
THIS NOTICE DOES NOT PERTAIN TO ANY PARKING VIOLATIONS.
Driving while under suspension mandates at least a fine of $200.00 and an additional 1 year
suspension of your driving privilege CITATION NO. DATE OF VIOLATION LOCATION OF
Advanced Media Group

102

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February 24, 2006 Continued


Friday
VIOLATION CHARGE, SECTION AND SUBSECTION VIOLATED B2421526-2 2/05/06 -/HILL
ST S 75 13111 111
DESCRIPTION OF VIOLATION FINE AND COSTS IF TRIAL REQUESTED
DISREGARD 'EPIVFIC CDmTROL DEVICE $106.50 OR $112 -50
DRIVERS LICENSE NUMBER STATE DATE OF BIRTH
18195782 PA 7/15/58
LAST NAME FIRST NAME MI SEX
CATEREOm STAWLBY -J -M
STREET ADDRESS
REGISTRATION NO.
SUBMIT CHECK OR MONEY ORDER TO THE ABOVE NAMED MAGISTERIAL DISTRICT
JUDGE OFFICE
DATE
-2/23/06
INSTRUCTIONS:
1. This violation may be disposed of without a trial by paying the fine and costs shown
above. Payment of fine and costs prescribed is a plea of guib.
NOTE: make your check or money order payable to the magisterial district numbsr shown
above.
2. You are entitled to a thl. If you so desire, fotward security in the amount of the fine and
costs shown plus an additional 56.C4XoSts to the magisterial
distrkt judge together with your plea of not guilty. You will be notified of a bial date. If you do
not appear, your security will be forfeited.
3. Failure to pay the fine and costs or post security shall resun in the suspension of your
driving privileges.
DATE P P I m r 2/23/06 10r34r39 AM
COUNTY OF: w m
Mag. mat. No:
02-2-06
MDJ Nme: Hm.
LEO H. ECumT, Jp
Add"L: 841 ST- BOAD
MILLEBSVILWe, PA
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT: NAME and ADDRESS
~&~TERBOI@ES,T - J.
220 S'K)IR BILL ROAD
COIRS-, PA 17516
Date Filed: 2/06/06
L
3. CA220 ST- BILL ROAD
CO=STO@A, PA 17516
REQUEST FOR SUSPENSION OF DRIVING PRIVILEGE FOR
FAILURE TO RESPOND TO A CITATION OR SUMMONS
-s~A,.,D.COm mmm- - - Elate o f ~ o t l c e -:
2/13/06
a citation or summons or pay any fines and costs imposed for a violation of the section of the
Pennsylvania Vehicle
u respond to the citation and pay me fie, costs, and penaities show, or post security for a trial
within 15 days Of
Advanced Media Group

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February 24, 2006 Continued


Friday
I be referred to the Deparbnent of Transportation, which will suspend your driving privilege
until you respond to
, costs, and penaties imposed. if !he Total Due is not specified, you will need to contact the
District Coun. If your
u will be required to pay add'mnal costs to restore your opsrating privileges.
THIS NOTICE DOES NOT PERTAIN TO ANY PARKING VIOLATIONS.
Driving whib under suspension mandates at least a fine of Pw.00 and an add'irional I year
suspension of your driving priviiege.
CITATION NO. DATE OF VIOLATION LOCATION OF VlOLATlON CHARGE, SECTION
AND SUBSECTION VIOLATED
82421477-2 2/05/06 YUP/HILL BT S 75 14703 SSA
DESCRIPTION OF VIOLATION FINE AND COSTS IF TRIAL REQUESTED
DRIVERS LICENSE NUMBER
18195782
LAST NAME
STATE DATE OF BIRTH
PA 7/15/58
FIRST NAME MI SEX
CA-m STAULBY -J -M
STREET ADDRESS
220 S'K)IR HILL ROAD
CITY STATE ZIP CODE
COIISTOQll PA 17516
REGISTRATION NO. STATE YEAR MAKE MODEL
SUBMIT CHECK OR MONEY ORDER TO THE ABOVE NAMED MAGISTERIAL DISTRICT
JUDGE OFFICE
DATE
6--2/23/06
INSTRUCTIONS:
1. This violation may be dispofed of without a trial by paying the fine and costs shown above.
Payment of fine and costs prescribed is a plea of guilty.
NOTE: make your check or money order payable to the magisterial district number shown
above.
2. You are entitled to a trial. If you so desire, fonuard security in the amount of the fine and
costs show plus an additional $6.00costs to the magisterial
district judge together with your plea of not guilty. You will be notified of a trial date. If you do
not appear, your security will be forfeited.
3. Failure to pay the fine and costs or post securiiy shall resun in the suspension of your
driving privileges.
DATE PRImmr 2/23/06 10:34:39 AN

February 25, 2006


Saturday
All Day

Mardi Gras - New Orleans


Please See Above

All Day

Received Mellon Bank Response to Fed CA


PHILADELPHIA

NEW YORK ATL4NlA NEWARK CHARLOTTE SAN DIEGOCHERRY HILL

COZEN

SAN

FRANCISCO
CHICAGO SEATTLE DALLAS TRENTON DENVER
CONSHOHOCKEN MS VEGAS
CORWRATION

O'CONNOR

ATTORNEYS WICHITA

WASHINGTON, DC HOUSTON WEST

LONWN WllMlNGTON LOS ANGELES A PROFESSIONAL

1900 MARKET STREET PHILADELPHIA, PA 19103-3508 215.665.2000 800.523.2900 215.665.201

3 FAX w.co2en.com

February 23,2006
Advanced Media Group

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9/25/2006 10:03 AM

February 25, 2006 Continued


Saturday
1900 MARKET STREET PHILADELPHIA, PA 19103-3508 215.665.2000 800.523.2900 215.665.201

3 FAX w.co2en.com

February 23,2006
VIA HAND DELIVERY
George M. Gowen III
Direct Phone 215.665.2781
Direct Far 215.701.2028
gptn*mn.cem

The Honorable Mary A. McLaughlin


United States District Court for the Eastern
District of Pennsylvania
601 Market Street
Philadelphia, PA 191 06
Re: Caterbone v. Lancaster Countv Prison, et al., 2:05-CV-2288

Dear Judge McLaughlin:


Enclosed please find a courtesy copy of Mellon Bank, N.A.'s Motion to Dismiss and
accompanying memorandum, which were filed with the Clerk of Court via ECF today.
Respectfully,
COZEN O'CONNOR

By: George M. Gowen III


GMGlsaw
Enclosure
cc: Stanley J. Caterbone (wl encl.)
Stuart A. Weiss, Esquire (wl encl.)
Stephanie Carfley, Esquire (wl encl.)
Christopher S. Underhill, Esquire (wi encl.)
Avalon Police Department (wi encl.)
Lancaster County Prison (wl encl.)
Lancaster County Sheriffs Department (w/ encl.)
Stone Harbor Police Department (wl encl.)

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA

STANLEY J. CATERBONE,
Plaintiff,

Civil Action No. 2:05-cv-2288-MAM


LANCASTER COUNTY PRISON, et al.,
Defendants.
ORDER
AND NOW, this day of ,2006, upon consideration of Mellon Bank, N.A.'s Motion to Dismiss, and any
response thereto, it is hereby ORDERED that said motion is GRANTED. It is hereby further
Advanced Media Group

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9/25/2006 10:03 AM

February 25, 2006 Continued


Saturday
ORDERED that the Plaintiffs Complaint, as to
Commonwealth National Bank and Mellon Bank, N.A., is DISMISSED WITH PREJUDICE.

IN THE UNITED STATES DISTRICT COURT


FOR TKE EASTERN DISTRICT OF PENNSYLVANIA

STANLEY J. CATERBONE,
Plaintiff,
Civil Action No. 2:05-cv-2288-MAM
LANCASTER COUNTY PRISON, et al.,
Defendants.
MELLON BANK, N.A.'s MOTION TO DISMISS
Pursuant to Federal Rule of Civil Procedure 12(b), Mellon Bank, N.A. ("Mellon") hereby
moves to dismiss Plaintiffs Complaint, to the extent it purports to state a claim against
Commonwealth National Bank or against Mellon. The grounds for Mellon's motion are set forth in the
accompanying memorandum of law.
Dated: February 23,2006

S/ George M. Gowen III


George M. Gowen III
Stuart A. Weiss
COZEN O'CONNOR
1900 Market Street
Philadelphia, PA 19103
Tel. (215) 665-2000
Fax (215) 665-2013
Attorneys for Mellon Bank, N.A.

CERTIFICATE OF SERVICE

I, George M. Gowen, hereby certify that I served a true and correct copy of the foregoing Motion to
Dismiss and the accompanying memorandum of law, via U.S. First Class Mail, on the 23rd day of
February, 2006, upon the following:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga. PA 17516
Lancaster County Prison
625 East King Street
Lancaster, PA 17602-31 99
Stone Harbor PoliceD epartment
Avalon Police Department
9508 Second Avenue 3088 Dune Drive
Stone Harbor, NJ 08247 Avalon, NJ 08202
Stephanie Carfley
Lancaster County Sheriffs Department
BARLEY SNYDER, LLC 50 North Duke Street
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February 25, 2006 Continued


Saturday
126 East King Street P.O. Box 83480
Lancaster, PA 17602 Lancaster, PA 17608-3480
Attorneys for Defendant Fulton Bank
Christopher S. Underhill, Esquire
HARTMAN UNDERHILL &
BRUBAKER, LLP
221 East Chestnut Street
Lancaster, PA 17602
Attorneys for Defendant Manheim Township
and its Police Department
S/ George M.Gowen III
George M. Gowen III
1900 Market Street
Philadelphia, PA 19103
Tel. (215)665-2000
Fax. (215)665-2013
Attorneys for Mellon Bank, NA.

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA

STANLEY J. CATERBONE,
Plaintiff,
Civil Action No. 2:05-cv-2288-MAM
LANCASTER COUNTY PRISON, et al.,
Defendants.
MEMORANDUM IN SUPPORT OF
MELLON BANK, N.A'S MOTION TO DISMISS
Mellon Bank, N.A respectfully submits this memorandum in support of its Motion to
Dismiss.
INTRODUCTION
Plaintiffs rambling, 87-page Complaint must be dismissed, at least to the extent that it
purports to assert a cause of action against Mellon Bank, N.A. el ell on").' The Complaint, which is
poorly organized and often incoherent, contains allegations that cover over 20 years of unrelated
events and involving several different parties. When boiled down, however, Plaintiffs specific
allegation against Mellon arises from a single set of facts, which is unconnected to the several other
stories Plaintiff has inexplicably lumped together in his Complaint. Plaintiffs claim is simply that, in
1987, Mellon participated in the wrongful repossession of his aircraft, Mellon is not a named
Defendant. Mellon used to own Commonwealth National Bank ("Commonwealth"), which is a named
Defendant. Plaintiff apparently equates Mellon with Commonwealth and served Mellon with the
Complaint. For the purposes of this motion only, Mellon accepts Plaintiffs attribution of
Commonwealth's actions to Mellon. For simplicity's sake, this memorandum sometimes refers to
Commonwealth as "Mellon." thus violating "lender liability laws." Now almost 20 years later, Plaintiff
seeks redress for this
alleged action.
Plaintiff's Complaint should be dismissed for both procedural and substantive reasons.
First, Plaintiff failed to effect sufficient service of process on Mellon, even though the Court
specifically instructed Plaintiff to do so, and even though he has enjoyed almost 20 years to determine
the appropriate method. Second, Plaintiff expressly alleges that his purported claim against Mellon
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February 25, 2006 Continued


Saturday
accrued in 1987, over 17 years ago. Thus, any such claim is barred by the statute of limitations.

FACTUAL BACKGROUND
For the purposes of this motion, the Court must accept Plaintiffs allegations as true.
Carteret Sav. Bank v. Shushan, 954 F.2d 141, 142 n.1 (3d Cir. 1992). Mellon does not attempt herein
to recite all the allegations contained in the Complaint. Rather, Mellon recites the allegations that
concern Mellon andlor Commonwealth.
Plaintiff alleges that, on June 9, 1987, he submitted an application to John Wolfe, Executive Vice
President of Commonwealth, to obtain a loan to finance the purchase of an aircraft. (Compl. at 24.) By
June 12, 1987, Commonwealth approved Plaintiffs application and provided him with $97,000 in
financing. (Id. at 25.) On June 12, 1987, Plaintiff used this $97,000 to purchase an aircraft from
Lancaster Aviation. (Id.)
According to Plaintiff, between June 27, 1987 and July 4, 1987, Commonwealth took part in the
repossession of Plaintiffs new aircraft. (Id. at 28-31) Insinuating that this 2 Who actually repossessed
Plaintiffs aircraft and when it occurred is not entirely clear from his Complaint. First, he alleges that
Lancaster Aviation repossessed his aircraft on June 27, 1987. (Compl. at 28.). Then, he states that
Commonwealth repossessed the aircrat? a few hours prior to midnight on July 4, 1987. (Id. at 31 .)
Finally, Plaintiff Footnote repossession was improper, Plaintiff alleges the first payment of the loan
secured by the aircraft was not due until July 25, 1987. (Id.) Plaintiffs aircraft, when repossessed,
housed certain business and personal papers. Plaintiff recovered those papers through a hired thirdparty, within hours of the repossession. (Id. at 32.) On the same day as the repossession, Plaintiff
contacted his personal attorney, Joe Roda, to inform him of the repossession. (Id. at 3 1 .) Mr. Roda
brushed off Plaintiff, stating, "Stan, you have to quit fabricating these allegations, it is July 4th, what
do you want me to do[?]" (Id.) On July 7, 1987, intending to file suit against Commonwealth for
breach of "lender liability laws," Plaintiff contacted the law firm of Capello & Foley. (Id. at 34.)
Two days later, according to Plaintiff, he received a letter from Commonwealth that provided three
reasons for the repossession of his aircraft: "(1) Failure to provide adequate insurance; (2) [removal of
[the] aircraft from Lancaster Aviation; and (3) [Plaintiffs intention] to fly [the] aircraft to Florida
without prior written notice." (Id.) While Plaintiff did not file suit, sometime between July 1987 and
August 8, 1987 he offered to settle this matter with Commonwealth in 1987 for a sum of $5 million.
(Id. at 34-37.) On August 8, 1987, Plaintiff received a letter from Commonwealth, declining his
settlement offer. (Id. at 37.)
Plaintiff took no further action until May 16,2005, when he brought this lawsuit. Even
then, Plaintiff took no action to serve his Complaint for the next seven months. On January 5, 2006,
this Court ordered Plaintiff to serve his Complaint upon each named defendant by January 25,2006 or
suffer the consequence of dismissal of his action. (See Jan. 5,2006 Order [doc. #3] at 2.) According
to Plaintiff, eleven days later, he sent a copy of his Complaint to Mellon via certified mail. (See
Certificate Serv. [doc. #8].) alleges that he received a letter from Commonwealth on July 9, 1987
"regarding the repossession 9 days prior." (Id. at 34.)
ARGUMENT
I. PLAINTIFF'S PUTATIVE CLAIM AGAINST MELLON MUST
BE DISMISSED FOR INSUFFICIENT SERVICE OF PROCESS.
Plaintiffs Complaint should be dismissed, pursuant to Federal Rule of Civil Procedure
12(b)(5), for insufficient service of process. In considering a motion to dismiss for insufficient service
of process, the serving party bears the burden to demonstrate that his method of service \w.s proper.
Grand Entm 't Group Ltd. v. Star Media Sales Iitc., 988 F.2d 476,488 (3d Cir. 1993). Plaintiff
cannot meet that burden.
Mellon is a national banking association. Service on a corporation or association may be effected by
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Saturday
Mellon is a national banking association. Service on a corporation or association may be effected by
delivering a copy of the summons and complaint to an officer, a managing or general agent, or to any
other agent authorized by appointment or by law to receive service of process.
See Fed. R. Civ. P. 4(h). Rule 4(h) also allows service upon such an entity pursuant to the law of the
state in which the district court is located. Id. The Pennsylvania Rules of Civil Procedure, however,
also only permit "unincorporated associations" or "corporations and similar entities" to be served by
"handing" a copy of original process to certain or agents of the entity. See Pa. R. Civ. P. 402, 423,424.
Thus, under Rule 401) and the state rules it incorporates, Plaintiff could only serve Mellon by handdelivering the Summons and Complaint. Plaintiff did not do so.
Rather, he served Mellon by mail. (See Certificate Serv. [doc. #8].) Therefore, service of process was
insufficient. Plaintiff may argue that his pro se status should accord him some leniency with regard to
service of process. Pro se status, however, does not qualify ignorance or disregard of the procedural
rulcs. See Barrett v. City ofAllentown, 152 F.R.D. 46,49 (E.D. Pa. 1993).
According to Plaintiff himself, he has been contemplating filing this action since 1987. His Complaint
reflects that he had both the time to understand and access to the rules of procedure. Moreover, this
Court specifically instructed Plaintiff to fulfill his obligation to serve theComplaint properly. (See Jan.
5,2006 Order [doc. #3].) Plaintiff failed to meet the Court's directive.
Courts do not hesitate to dismiss actions for insufficient service of process. See Lin v.
Pa. Mach. Works, Znc., No. C1V.A. 97-382, 1997 WL 364481, at "1-2 (E.D. Pa. June 24, 1997)
(dismissing apro se plaintiff s complaint under Federal Rule of Civil Procedure 12(b)(5) for failure to
effect proper service). This case should be no exception. The Court should dismiss the Complaint for
insufficient service of process and for failure to comply with the Court's January 5,2006 Order.
11. PLAINTIFF'S CLAIM AGAINST MELLON IS TIME-BARRED.
The Court should also dismiss Plaintiffs claim against Mellon becausd any such claim is irrefutably
time-barred pursuant to Federal Rule of Civil Procedure 12(b)(6). Fed. R. Civ. P. 12(b)(6). A
complaint should be dismissed, for failure to state a claim, where it appears beyond a doubt that the
plaintiff can prove no set of facts in support of his claim that would entitle him to relief. Carino v.
Stefan, 376 F.3d 156, 159 (3d Cir. 2004). A defendant may "raise a limitations defense in a Rule
12(b)(6) motion where the time alleged in the statement of a claim shows that the cause of action has
not been brought within the statute of limitations." Robinson v. Johnsort 313 F.3d 128, 135 (3d Cir.
2002); see also Oshiver v. Levin, Fishbezn, Sedran, & Berman, 38 F.3d 1380, 1385 n.l (3d Cir.
1994) (finding a statute of limitations defense may be raised pursuant to a 12(b)(6) motion where the
"complaint facially shows noncompliance with the limitations period and the affirmative defense
clearly appears on the face of the pleading.").
That is precisely the case here. Plaintiffs Complaint does not allege a specific cause of action or legal
theory against Mellon. Instead, Plaintiff alleges only that Mellon "participated in" the repossession of
an airplane. (Compl. at 28-31.) The airplane allegedly was the security for a loan from Mellon to
Plaintiff. (Id. at 25.) Without alleging why, Plaintiff insinuates that the repossession was improper.
(Id. at 3 1 .) Thus, construing these allegations quite liberally, and viewing them in a light most
favorable to Plaintiff, Plaintiff purports to allege conversion, replevin, trespass, fraud, breach of
contract and/or breach of fiduciary duty.
None of the limitations periods governing these causes of action, however, is greater than
four years.3 See In re Mushroom Transp. Co., 382 F.3d 325, 336 (3d Cir. 2004) (recognizing a 2-year
statute of limitations for breach of fiduciary duty claims); Dongelewicz v. PNC, N.A., 104 Fed.
Appx. 81 1,818 (3d Cir. 2003) ("The statute of limitations for fraud in Pennsylvania is two years.");
Green v. Assocs. Commercial Corp., No. C1V.A. 01-1270,2002 WL 340972, at *2 (E.D. Pa. March
4,2002) (noting that Pennsylvania has a 2-year statute of limitations for both conversion and replevin);
see also 42 Pa. Cons. Stat. 5 5524 (setting a 2-year statute of limitations for most torts); 42 Pa. Cons.
Stat. 5 5525 (setting a 4-year statute of limitations for breach of contract). Thus, for Plaintiffs claim
against Mellon to survive, the limitations period must not have begun to run until four years before he
filed his Complaint-i.e., until May 16, 2001.
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3 Plaintiff does not allege any of the Pennsylvania causes action for which the limitations
period is longer than 17 years. See 42 Pa. Cons. Stat. $9 5500-5531. While certain
causes of action do have 20-year, 21-one year, and no statute of limitations, those causes
of action are specifically enumerated and are not set forth by Plaintiffs Complaint even upon the most
liberal reading of the document. 42 Pa. Cons. Stat. 5528-5531. For example, Plaintiffs Complaint
does not allege the execution against personal property or instruments under seal, which claims have
20-year statutes of limitations. 42 Pa. Cons. Stat. 5529. Nor does Plaintiff assert a claim against
Mellon related to real property, which would have a 21-year statute of limitations. 42 Pa. Cons. Stat. 3
5530. Finally, Plaintiffs Complaint against Mellon does not involve a claim an against an attorney at
law or by a public entity, to which no statute of limitations would apply. 42 Pa. Cons. Stat. 3 5531.
The statute of limitations begins to run when a plaintiffs cause of action accrues. Oshiver v. Levin,
Fishbein, Sedran, & Berman, 38 F.3d at 1385. Under the "discovery rule," the accrual date is not the
date when injury occurs, but rather the date on which the plaintiff discovers the injury. Id. Here,
Plaintiff alleges that his putative cause of action against Mellon accrued in 1987, when Mellon
repossessed his aircraft. (Compl. at 28-3 I.) Plaintiff not only alleges that the act occurred in 1987, but
he also alleges that he discovered the act in 1987. For example, Plaintiff alleges that, on the very same
day that Mellon repossessed Plaintiff's aircraft, he contacted his attorney, Joe Roda, about the incident.
(Id. at 31.) Within the next week, Plaintiff contacted the law firm of Capello & Foley in order to file
suit. (Id. at 34.) Plaintiff even went as far as to make a settlement demand on Mellon sometime
betweeri July 1987 and August 8, 1987. (Compl. at 34-37.) Thus, the statute of limitations on
Plaintiffs claim against Mellon began to run in 1987, over 17 years before he filed suit. Limitations
periods exist for a reason-fairness. Burnett v. N. Y. Cent. R.R. Co., 380 U.S. 424,428 (1965). The law
recognizes that, at a certain point in time, individuals and entities must be free to assume that they
will not be called upon to defend their prior conduct. Order 0fR.R. Tel. v. R.Y. Express Agency,
Inc., 321 U.S. 342,349 (1943). Over time, memories fade, evidence is lost, witnesses disappear, and
people and companies move on with their lives and businesses. Johnsort v. Ry. Express Agency,
Znc., 421 U.S. 454,473 (1975). Moreover, "the courts ought to be relieved of the burden of trying stale
claims when a plaintiff has slept on his rights." Burnett, 380 U.S. at 428. This case presents a perfect
example why limitations periods are necessary.
Plaintiff purports to require Mellon to answer his loosely-organized aspersions about the conduct of
one of Mellon former banks almost 20 years ago. He also demands that the Court use its resources to
try a stale claim that he failed to raise for 17 years. It would be unfair to force Mellon or the Court to
do so. Accordingly, Plaintiffs claim against Mellon should be dismissed as time-barred.
CONCLUSION
For the foregoing reasons, Mellon respectfully requests that this Court dismiss the
Complaint, to the extent that it purports to assert a claim against Mellon andlor Commonwealth.
Dated: February 23,2006
st George M. Gowen 111
George M. Gowen I11
Stuart A. Weiss
1900 Market Street
Philadelphia, PA 19103
Tel. (215)665-2000 a
Fax. (215)665-2013
Attorneys for Mellon Bank, NA.

February 26, 2006


Sunday
All Day

Mardi Gras - New Orleans


Please See Above

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February 27, 2006


Monday
All Day

Mardi Gras - New Orleans


Please See Above

February 28, 2006


Tuesday
12:00 AM - 10:00 AM

Mardi Gras - New Orleans


Please See Above

7:00 PM - 11:00 PM

Sheryl - Austin Bass Hall Concert -- Austin, Texas

March 01, 2006


Wednesday
9:00 AM - 9:30 AM

Lancaster County Commissioners Meeting -- Lancaster County Courthouse

10:00 AM - 10:00 AM

Lancaster County District Attorney Office -- Lancaster County Courthouse

Drop off letter to Donald Attorney

10:30 AM - 11:00 AM

Lancaster Chamber of Commerce -- Vine street, Lancaster, PA

Request 2006 fee schedule for Project Hope and Advanced Media Group. See Sharon Roda,
who works for the Economic Development and David Nikollof. Did not know she worked
there and asked to visit with her.
11:00 AM - 11:00 AM

Visit Joe Pinto at Cliiper Stadium

Stopped by to see Joe about the concert schedule for the summer. Joe was busy.

March 02, 2006


Thursday
3:00 PM - 3:30 PM

Phone call from Attorney JoLynn Stoy of PHFA

Another argument about getting the recording of my Appeal Hearing on Jan 18th in
Harrisburg. She again tried to lie her way out of the fact that they fabricated my statement in
theie finding. Hung up on her.
4:00 PM - 4:30 PM

Mail Certified letter to JoLynn Stoy

5:00 PM - 11:00 PM

Sheryl Houston Reliant Stadium Concert -- Houston, Texas

Houston Rodeo with Concert


6:00 PM - 7:30 PM

Lombardoes Restuarant -- Harrisburg Pike

Mike lombardo will email cemetary in Italy with deceased from Lancaster Family's
7:00 PM - 11:00 PM

Fiona - 3/2/06 WASHINGTONG DC MCI CENTER -- WASHINGTONG DC MCI CENTER

7:00 PM - 11:00 PM

Fiona - 3/2/06 WASHINGTONG DC MCI CENTER -- WASHINGTONG DC MCI CENTER

March 03, 2006


Friday
All Day

Advanced Media Group

Sheryl Grand Prarie Nokia Theater -- Grand Prarie, Texas

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March 04, 2006


Saturday
4:00 PM - 4:30 PM

Interrogation

7:00 PM - 11:00 PM

Sheryl Corpus Cristi Concert -- Corpus Cristi, Texas

Concrete Street Amp

March 05, 2006


Sunday
5:00 PM - 5:30 PM

NSA

March 07, 2006


Tuesday
7:30 PM - 8:00 PM

Hypnosis Seminar -- Holiday Inn Greenfield

Talk to someone and they said smoking would be over at 8pm and the diet would start at 8pm
and end at 10. $59. fee to attend. The went to Dispensing com and had 2 beers, then to Alley
Kat had 3 drinks and 3 cokes until 1:15am, then went home. Went back out at 3:00am.

March 08, 2006


Wednesday
3:30 AM - 4:00 AM

-- Lancaster City Police Station

Desk Sergeant and tall short haired officer carring black gym bag were at front desk. Laid my
business card on desk and asked if "they knew what chlorphorme was, and that I heard
rumors around town that someone was using that stuff, and they should clean this town up
from using that stuff".

March 11, 2006


Saturday
12:00 AM - 12:00 AM

Clear and grub

March 12, 2006


Sunday
All Day

Clear and grub


Please See Above

7:00 PM - 8:30 PM

Mideast leader speaks on peace -- Lancaster Friends Meeting, 110 Tulane Terrace, behind Wheatland
Shopping Center.

Palestinian leader Jean Zaru will be the featured speaker at a convocation Sunday, March 12,
hosted by the Lancaster Interchurch Peace Witness' Middle East interest group. Her address,
"Peacemaking in Palestine and Israel," will begin at 7 p.m. at Lancaster Friends Meeting, 110
Tulane Terrace, behind Wheatland Shopping Center.
The public is invited. An offering will be taken.
Zaru is in the United States to speak to a Middle East conference in Washington, D.C. Born in
Ramallah, West Bank, in 1940, eight years before the Palestinian diaspora, the "birthright
Quaker" has devoted her life to dialogue and nonviolent social change.
For 17 years Zaru has served as the presiding clerk of the Ramallah Friends Meeting in
Palestine. She received the "For the Healing of the Nations" reconciliation award in 1997 and
the Award of Affirmation in 2005 from the global ministries of the Christian Church (Disciples
of Christ) and the United Church of Christ in the United States and Canada. She received the
2004 Peace Award and the 2005 Nonviolence Award from the Swedish Fellowship of
Reconciliation.
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March 12, 2006 Continued


Sunday

March 13, 2006


Monday
12:00 AM - 12:00 AM

Clear and grub


Please See Above

March 15, 2006


Wednesday
5:00 PM - 7:00 PM

ST. PATRICKS DAY SPIRIT AT COURTYARD BY MARRIOTT MIXER -- COURTYARD BY MARRIOTT

Members are invited to summon their inner-Irish and get in the St. Patricks Day
spirit at the Courtyard by Marriott Mixer on Wednesday, March 15 from 5 to 7
p.m. Guests will tap their toes to traditional Celtic music and enjoy some tasty
Irish fare while exploring all that Lancasters newest hotel has to offer.

March 21, 2006


Tuesday
6:30 AM - 7:00 AM

Somenon just shot at me

At approx 6:30 am this morning I was out by the side of my house in the woods tying up a
tree and someone from the adjacent valley shot one shot which sounded like it was it could
have been at me. There were no hunters in the area that I could see. There are homes on
valley road that have a clear line of sight.
I immediately went to the Southern Regional Police Dept on Main Street and found Officer
Buzzer inside. I said "someone just shot at me" and he looked at me like I was lying. I said
why don't you like me, and he said "because you don't get any help". I said what are you
taking about and he said you don't take your medicine". I said you are nuts, I am going to file
a civil lawsuit against you. Someone justs shot at me and he ordered me out of the station,
then he went and bent his elbow and put his forearm in my throat and pushed me out the
door.
As he backed me out of the door, Chief Fiorell pulled up and got out of his car, I said
someone just shot at me, and I said you have to get rid of that asshole, he shouted at me to
get out, I approached him, and smelled alcholol all over his breath, and I said you smell llike
you were just drinking, and said I was going to the DA's office.
I left and went to Valley road and saw a black pickup truck behind one of the houses on
Valley road, which was running and warming up. I saw no hunters around from field where it
sounded like ths shot came from.
Then Bill Houston's son walked out to get the bus, and loolked scared, I asked him if he heard
any shots this morning and he said no. I asked him again, and he said no again.
Signed, Stan J. Caterbone

Advanced Media Group


Stan Caterbone
mailto: amgroup01@msn.com
www.amgglobalentertainmentgroup.com
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Tuesday
Fax: (717) 427-1621
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
4:00 PM - 5:00 PM

EXCELSIOR PLACE INVESTOR -- SOUTHERN MARKET, LANCASTER, PA

Excelsior to get new investor


Partner to be revealed today for E. King project

BY PAULA HOLZMAN, Intelligencer Journal Staff


Today's city Redevelopment Authority meeting could break the deadlock on plans to
renovate several long-vacant properties in
the 100 block of East King Street. Local developers Rich Heslin and John Meeder and
Baltimore-based developer Stanley Keyser had been
planning to renovate two properties, Excelsior Hall, 125-131 E. King St., and the Galiano
buildings, 141-159 E. King St. Both are owned by
Redevelopment Authority of the City of Lancaster.
The team in November began formulating detailed plans and financing, a step required
before the authority would sell the buildings.
But Keyser -- who had been assembling the project's finances -- pulled out of the deal
about 45 days ago, said Chuck Maneval, the city's director of community and economic
development. "We don't have a clear understanding of why," Maneval said. Heslin
requested 30 days to secure another investor to take Keyser's place. Maneval said the
developers told him they will name the new investor at today's 5:15 p.m. meeting at
Southern Market
Center. Heslin declined comment on the project.
"We're in the midst of very sensitive negotiations," he said. If the new team meets the
authority's requirements, the two parties can set a date to settle on the properties,
Maneval said. Built in 1875, Excelsior Hall has been empty since 1977. The city acquired it
in 1997 Heslin, Keyser and Meeder last fall proposed spending $5 million to convert the
building into 15 condominiums and a restaurant. The city took ownership of the Galiano
buildings after developer John Galiano defaulted on their mortgages before his death in
2001. The team discussed turning those buildings into first-floor commercial space with
residential units on the upper floors.
"The development of the Excelsior Building and its companion property, the Galiano
building(s), and others will provide an excellent source of employment, historic
preservation and new taxes for the city," Maneval said. He said it makes sense for one
developer to tackle several projects on the same block to
strengthen the economic impact of the improvements. 2004-2006 Lancaster

Newspapers

PO Box 1328, Lancaster PA 17608, (717) 291-8811


Terms of Service Privacy Policy

March 22, 2006


Wednesday
6:30 PM - 7:00 PM

PA Housing & Finance Agency letter to Lin Patch & JoLynn Stoy

FAX COVER SHEET


TO:
Lin Patch, Appeals Officer HEMAP Appeals Unit
COMPANY:
Pa Housing and Finance Agency
FAX NUMBER
FROM: Stan Caterbone
DATE: March 22, 2006
RE
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Wednesday
COVER MESSAGE
+1-7177803905
Stan Caterbone
3/22/06 2:58 PM

Appeal to Commonwealth Courts I have recieved the tape recording of my appeal hearing on
March 15, 2006, and upon urther review, the following statement was not found on the
recording of my hearing: The applicant provided the following tatement with respect to the
cause of the mortgage delinquency: "These circumstances came about when I met with
fficials from International Signal & Control, plc., in 1987 and became involved with agencies
providing the United States of America associated with the highest level of Intelligence and
National Security. I was called upon by ISC to help to provide inancial assistance for
portions of thier [sic] operations. I immediately became suspect of these circumstances
following my eeting of June 23, 1987; and alerted various officials of local, state, and federal
authorities. It was these allegations that esulted in a 'Billion Dollar Fraud' that was
successfully prosecuted by he United State Attorney General and the Federal Bureus [sic] of
Investigation in 1990. This [sic] circumstances have been before now, a dire problem within
the scope and bounds of our National Security. These circumstances are now able to be
adjucated within the Court of Law under the provisions and doctrines of the Constitution of the
United States of America. During these activities, certain agencies of the ntelligence
community, began extracting information on present and future issues concerning the current
state of affairs of he United States of America." I also have learned that Mr. Cooper in the
hearing stated that an appeal to the ommonwealth ourts time expired after 30 days, or 6
days after you provided me with the recorded trascript, which I initially requested on or bout
February 10, 2006. Was it your intention to delay the delivery of the tape recording so that the
time for filing my appeal ould have expired?
Respectfully,

Stan J. Caterbone
Advanced Media Group

Lin Patch, Appeals Officer HEMAP Appeals Unit


www.efax.com

March 24, 2006


Friday
8:00 AM - 8:30 AM

Reading Plea Due

7:00 PM - 12:00 AM

Sheryl on Date

See file folder for details

March 25, 2006


Saturday
6:30 AM - 7:00 AM

Key to Honda Stolen Mom's House and Billy Plank -- 1250 Fremont Street

Found beer can in back yard, and newspapers in kitchen. Noticed people may have been
inside house. While there, white small car pulled up in back beside Billy Planks truck, got out
and crawled under truck. Was a clue about the key under my van that was apparently stolen
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March 25, 2006 Continued


Saturday
while my Honda was parked in the front of my house. Decided to go and put evidence in
Fulton Banks Safety Deposit Box.
7:00 AM - 8:00 AM

McDonald for Breakfast -- Columbia Avenue

7:00 AM - 8:00 AM

Sheryl left for home -- 1331 Washburn Raod, Kennet, MO 55331

Sheryl headed for Interstate 8

8:30 AM - 9:00 AM

Went home to get key for Safety Deposit Box

9:00 AM - 10:00 AM

Hypnotized (Key) Fulton Bank Safety Deposit Box -- Columbia Avenue, Lancaster PA

Hypnotized with the Key Trick, Alarm went off on car, don't know how, younger woman beside
my car, lipstick. Lost key to ignition, got out of car, stood beside car, went back into car and
key was gone. Went to get key under car, and it was gone. Wanted to Switch Safety Deposit
Boxes. Alarm would not go off, left it on while I went into Bank. Turned alarm off with
keyfab, and remembered that I had another key in pouch. Found key hidden in rear
cupholder under a file folder.
See Digatal audio of Fulton Bank to change Safety Deposit Box. Fulton Bank tried to disuade
me from changing Safety Deposit box.
9:00 AM - 10:00 AM

Hypnotized (Key) Fulton Bank Safety Deposit Box -- Columbia Avenue, Lancaster PA

Hypnotized with the Key Trick, Alarm went off on car, don't know how,
younger woman beside my car, lipstick. Lost key to ignition, got out
of car, stood beside car, went back into car and key was gone. Went
to get key under car, and it was gone. Wanted to Switch Safety
Deposit Boxes. Alarm would not go off, left it on while I went into
Bank. Turned alarm off with keyfab, and remembered that I had
another key in pouch. Found key hidden in rear cupholder under a
file folder.
See Digatal audio of Fulton Bank to change Safety Deposit Box.
Fulton Bank tried to disuade me from changing Safety Deposit box.

11:00 AM - 12:00 PM

Gib Armstrong Office -- North Queen Street, Lancaster, PA

Pick up Right to Know and Freedom of Information Act documents.

March 26, 2006


Sunday
12:00 AM - 1:00 AM

Arrived Home at 220 Stone Hill Road

Came home to wait for Sheryl's arrival.

1:00 AM - 2:00 AM

Sheryl Said she was at Alley Cat

Sheryl said she was at Alley Cat


he would show her the way home.
something, and said someone else
left. Lance and friends hook up

2:00 AM - 3:00 AM

to give Brett a package, Brett said


Said he had to take care of
would. 3 guys came in and Sheryl
with Sheryl. Lance.....

Sheryl daid she was lost

Said she was in neigbors driveway.

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March 28, 2006


Tuesday
1:00 PM - 1:30 PM

Received Judge Fehling Order for Hearing

UNITED STATES BANKRUPTCY COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
IN KE:
Stanley J. Catdone,
Chapter 11
NO. 05-23059
DcMor
ORDER
AND NOW, this 20 day of March, 2006, upon our consideration of fkbtor's Request for
Hearin& which Request was flied today, lT IS HEWY ORDERED that Debtor's Request for
Heering is denied because nothing is pending befare this Court on which a hearing might be
held.
BY THE COURT
United States Bankruptcy Judge

March 29, 2006


Wednesday
2:00 PM - 2:30 PM

New Chapter 11 DEBTOR REQUEST FOR HEARING

UNITED STATES BANKRUPTCY COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
:
:
Chapter 11
Stanley J. Caterbone,
:
NO. 05-23059-TMT
Debtor
:
DEBTOR REQUEST FOR HEARING
On this day, March 29, 2006, Debtor hereby request a hearing with the Bankruptcy
Judge assigned to case No. 05-23059 for the following reasons:
A)

B)
C)

D)
E)

F)

Advanced Media Group

Debtor realizes that the reorganization plan is overdue and would like
the courts to address the determination as to how the debtor should
proceed in conjunction with the Federal Courts refusal to grant the
plaintiff of the Civil Action 05-2288 a hearing in that case.
Debtor has sufficient evidence that court documents have been subject
to erroneous removed from the court docket.
Debtor has creditors that refuse to abide by the
Federal rules and regulations of the bankruptcy code and would like your
honor to advise as to how to proceed and how to continue the debtors
chapter 11-bankruptcy petition.
Debtor has sufficient evidence of persons and or organizations that have
continued to thwart the debtors attempt to continue his business, thus
further the delaying of the debtor to pay down his debts to his creditors.
Debtor has sufficient evidence that Fulton Bank has been involved with
attempts to intimidate debtor to violate several rules and regulations of
the Federal Bankruptcy Code and the rules of Civil Procedures
concerning the same.
Debtor has sufficient knowledge and evidence of a continued campaign
by unknown computer hackers to thwart the actions of the debtor to
continue his operations of his business and his efforts to pay his
creditors and finalize and successfully complete his bankruptcy
proceedings.
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March 29, 2006 Continued


Wednesday
G)

Debtor will again request a hearing from the Honorable Judge Mary A.
McLaughlin of the United States District Court for the Eastern District of
Pennsylvania regarding the Civil Action 05-2288

Dated March 29, 2006

_____________________________
Stanley J. Caterbone, Debtor, Pro Se
220 Stone Hill Road
Conestoga, PA 17516
(717) 431-8184

CERTIFICATE OF SERVICE
U.S. Bankruptcy Court
Eastern District of Pennsylvania (Reading)
Bankruptcy Petition #: 05-23059-tmt
Stanley J. Caterbone represented by Stanley J. Caterbone PRO SE
220 Stone Hill Road Conestoga, PA 19516
SSN: xxx-xx-0959
Debtor request for hearing dated March 29, 2006
Service To:
Mr. Hugh Ward
Office of the Trustee
U.S. Department of Justice
833 Chestnut Street
Suite 500
Philadelphia, PA 19107
Fax: 215.597.5795
Re: Case No. 05-23059
United States District Court for the Eastern District of Pennsylvania
Honorable Judge Mary A. McLaughlin
Room # 13614
601 Market Street, Room 2609
Philadelphia, PA 19106-1748
1 Citi Bank Credit Card
P.O. Box 183063
Columbus. OH 4321 8-3063
2 Bank of America
P.O. Box 53132
Phoenix, AZ 85072-31 32
3 PayPal Buyer Credit
P.O. Box 960080
Orlando, FL 32896-0080
4 Discover
P.O. Box 15251
Wilrnington, DE 19886-5251
5 Bank of America
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Wednesday
P.O. Box 1070
Newark, NJ 07101-1070
6 ChaselBank One
P.O. Box 15153
Wilmington, DE 19886-51 53
7 AAA Financial Services
P.O. Box 15287
Wilmington, DE 19886-5287
8 AAA Financial Services
P.O. Box 15287
Wilmington, DE 19886-5287
9 Wells Fargo Financial Services
1941 Fruitville Pike S14
Lancaster. PA 1760110 Fulton Mortgage Services
P.O. Box 69
East Petersburg, PA 17520-0069
11 Comcast
P.O. Box 3006
Southeaster, PA 19398-3006
12 Sprint
P.O. Box 1769
Newark, NJ 07101-1769
13 Lancaster Regional Medical Ctr
P.O. Box 3434
Lancaster, PA 17604-3434
14 Capitol Blue Cross
P.O.BOX 778990
Harrisburg, PA 17177-8990
15 Donegal Mutual Insurance
P.O. Box 300
Marietta,PA 17547-0300
16 Verizon
P.O. Box 28000
Lehigh Valley, PA 18002-8000
17 FedEx
P.O. BOX 374161
Pittsburg, PA 15250-7461
18 PP&L
2 North Ninth Street
Allentown, PA 18101
19 Yolanda Caterbone
1250 Frernont Street
Lancaster, PA 17603
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Wednesday
20 Willow Run Veterinary Clinic
320 Beaver Valley Pike
Willow Street, PA 17584
21 Yarnell Security Systems
131 Elm Avenue
Lancaster, PA 17602
22 Cingular Wireless
4300 Kell Road
Wichita Falls, TX 76309
23 Honda Financial Services
P.O. Box 7829
Philadelphia, PA 19101-7829
24Beneficial
P.O. Box 4153-K
Carol Stream, IL 60197-4153
25 District Magistrate 23-1-04
Thomas H. Xavios
1209 North 10th Street
Reading, PA 19604
610-373-44246
26District Justice Leo H. Eckert, Jr.
847 Stehman Road
Millersville, PA 17551
Certificates of Service were sent by United States 1st Class Mail on March 30, 2006.

By, ________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone, Debtor
220 Stone Hill Road
Conestoga, PA 17516
(717) 431-8184

March 30, 2006


Thursday
8:00 AM - 8:30 AM

All Phone calls rerouted -- 220 stone Hill Road

All phone calls to State Police rerouted while trying to get Sheryl Help while persons try to
break into Hotel Room at the Chicago O'Hara Hilton
12:00 PM - 12:30 PM

Sheryl Problems In Hotel Room

4:00 PM - 4:30 PM

Sheryl left for airport (Kennett)

6:00 PM - 6:30 PM

Sheryl flight to Chicago O'Hara Aiport

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March 30, 2006 Continued


Thursday
10:00 PM - 10:30 PM

Sheryl check in Chicago O'Hara Hilton -- Chicago O'Hara Airport

March 31, 2006


Friday
All Day

Wendall arrive in Lancaster Aiport routed to Philly -- Lancaster Airport

Lancaster Aiport Tower rerouted flight to Phil


2:00 AM - 2:30 AM

Call and Talk to Wendell & Bernice Crow -- 220 Stone Hill

2:00 AM - 2:30 AM

Supposedly FBI arrives to Sheryl's Room

FBI (imposter?) arrives at Chicago O'Hara Hilton to Sheryls Room, Sheryl would not open
door, said they were arresting persons outside sheryl's room, said someone had gun
4:30 AM - 5:00 AM

Sheryl Accusted In Aiplane Chloro & Mace -- Chicago O'[Haro Aiport in Plane

Lead into plane 2 hours before original flight


3 or 4 Men
Chicago Police Imposter mace
6:30 AM - 8:30 AM

Sheryl Flight to Hia Airport -- Chicago O'Hara

Flight to Harrisburg International Airport


Arrival ETA at MDT at 11:18 pm

April 01, 2006


Saturday
10:00 AM - 10:30 AM

Kathy (Crow) drives from NJ to Lancaster -- Schedule to meet at Southern Market

12:00 PM - 12:30 PM

Lance tries to land in LNS - Tower would not let land

April 02, 2006


Sunday
2:00 PM - 2:30 PM

Registration Stolen from Dodge Pickup

2:00 PM - 2:30 PM

Someone Enters 220 Stone Hill Road

Ran out of house after someone hiding in basement

April 03, 2006


Monday
5:00 AM - 5:30 AM

Sheryl on Flight to LNS connecting in Pittsburg -- Craighton, MO

6:00 AM - 6:30 AM

Person breaks into 220 Stone Hill Road

Leave drieway and with pickup go to Wagon Wheel for coffee and newspaper, group of Men
laughing at me. I ask them if anyone of them was in my house, stay out of house until
1:30pm.
3:30 PM - 4:00 PM

Chlorophorme in car -- Lancaster Airport Parking Lot

4:00 PM - 4:30 PM

Chorophormed released in Car -- Route 501

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April 04, 2006


Tuesday
All Day

Must Attend John Couger Show -- Sovereign Center, Reading, PA

Will see sheryl there

6:00 AM - 6:30 AM

Sheryl Home in Kennett -- Kennett, MO

9:00 PM - 9:30 PM

Southern Regional Police Keep Pounding At Door

Said they just wanted to talk, Fedor and Chief Fiorell


Security took picture. Said I was sick and wanted to help me.

Southern Regional Southern Regional Southern Regional


2 apr 4 2006...
3 apr 4 2006...
apr 4 2006.b...

10:00 PM - 10:30 PM

Phil Called From Austin Texas -- 220 Stone Hill Road

Said Lance was out of town this week.

record001.mp3 (21
MB)

11:00 PM - 11:30 PM

Fax Southern Regional Police Suit to Don Totaro, Lancaster County District Attorney

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Stanley J. Caterbone
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania

:
:

:
:

Southern Regional Police Department


Chief John A. Fiorill
Officer Buzzer
Officer Fedor
Officer Burger
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Tuesday
Southern Regional Police Department
3284 Main Street
Conestoga, PA 17516

CIVIL ACTION

NO.
:

STATE OF PENNSYLVANIA

:
:
: ss

COUNTY OF LANCASTER

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

COMPLAINT

1. Libel: On several occasions officers did willfully and knowingly commit


acts of libel by verbally communicating and alleging plaintiff suffers
from mental disorders without merit and with malice with intent to cause
harm to plaintiffs reputation; cause plaintiff stress; cause harm to
business affairs and to obstruct plaintiffs federal civil litigation.
2. Slander: Police Department did slander plaintiff and his business.
3. Harassment: Officers did harass plaintiff at plaintiffs home on several
occasions.
4. Police Brutality: On several occasions officers did physically abuse
plaintiff without just cause and with malice.
5. Undo influence: Police Department is causing plaintiff problems and is
obstructing plaintiffs right to due process regarding his Federal Civil
Action 05-2288 currently in the United States Eastern District Court of
Philadelphia Pennsylvania.
6. False Imprisonment: On April 5, 2006 Officer Buzzer did knowingly and
willing falsely imprison plaintiff and maliciously attack plaintiff and
make false statements to authorities and to Lancaster General
Hospital.
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_____________________________
Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

CERTIFICATE OF SERVICE

Stanley J. Caterbone represented by Stanley J. Caterbone


220 Stone Hill Road PRO SE
Conestoga, PA 19516
Schedule F
Addendum to Add Creditors to Schedule
Service To:

Southern Regional Police Department


Chief John A. Fiorill
Officer Buzzer
Officer Fedora
Officer Burger
Southern Regional Police Department
3284 Main Street
Conestoga, PA 17516

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Tuesday

Certificates of Service were sent by United States 1st Class Mail on April 15, 2006.
By, ________________________________
Stanley J. Caterbone, Pro Se

Stanley J. Caterbone, Debtor

April 05, 2006


Wednesday
12:00 AM - 12:00 AM

LGH Psychiatric Ward 8 East -- North Duke Street, Lancaster, PA 17602

2:00 PM - 2:30 PM

Officer Buser/Lancaster General Hospital/Millersville Police/East Lampeter Police

Falsley Arrested, taken to LGH on 302; $750 Cash stolen.

Southern Regional
Police to LG...

6:00 PM - 9:00 PM

Guess who's cooking in the Courtroom kitchen: Guests -- Marion Courtroom, Lancaster

Downtown restaurant to host fundraiser for MHA


BY JUSTIN QUINN, Intelligencer Journal Staff

Don't miss Guest Chef night at Marion Courtroom.


Your stomach and Lancaster County's mental health community will thank you.
The restaurant is hosting a Guest Chef Night from 5 to 10 p.m. Wednesday to raise money
for Mental Health Association. It will donate 25 percent of the price of certain entrees selected
by the guest chefs.
Teaming up to be guest chefs are Mary Steffy, executive director of the Mental Health
Association of Lancaster County; Katherine Kravitz, president of the Mental Health
Association board; Penn Ketchum, executive director of Lancaster County Mental Health and
Mental Retardation; and Douglas Shank, board president of MH/MR.
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Wednesday
Ketchum said he's never worked in the restaurant business and anticipates this is as close as
he'll get.
"I've been eating almost my entire life, though," he said. "I'm looking forward to making my
selections."
The menu already includes appetizers such as hot crab dip and peel-and-eat shrimp and
entrees like lasagna and chicken parmesan with roasted vegetables and snap peas.
Steffy said organizers hope to raise $1,000 for Mental Health Association, or MHA, a
nonprofit organization that provides referral services and mental health services for Lancaster
County residents.
"We're trying to develop that second signature event," she said. "Right now our Legislative
Breakfast (which was held Friday morning) is the event most people know about. We also
have a flower sale in May and a pasta buffet and auction in November."
Fundraisers like Guest Chef Night are vital to MHA's annual operating budget, which is
$200,000, Steffy said.
"It helps keep us independent," Steffy said. "We derive about 42 percent of our funding from
United Way, but we are competing with about 50 other agencies for those funds. We're
always trying to find new ways to raise money."
On June 2, MHA plans to hold a Flavors of Lancaster benefit, which will be held from 6 to 10
p.m. at the Eden Resort & Conference Center, Steffy said.
About 30 restaurants will participate and provide bite-size foods to help the organization meet
its $3,000 goal.
Marion Courtroom owner Mike Geesey said guest chef nights are a phenomenon that started
about 15 years ago.
"A lot of times, charities will come in soliciting us for donations," he said. "We figured, 'Let's
do a guest chef night to help them raise money.' It's worked out real well. Some of them really
make it an event."
One organization combined its guest chef night with a silent auction and a 50/50 raffle,
Geesey said.
"They made almost $10,000," he said. "They didn't make that much from the menu items, but
combined with the other activities, they made out pretty good."
Marion Court Room's guest chefs won't actually be cooking, Wednesday, but they'll be
helping all the same, Geesey said.
"We divide the specials among the crew and cook it for them," Geesey said. "But they help
me keep people calm while they're waiting for their food, which is important. They can
become pretty hectic nights."
Dinner reservations for MHA's Guest Chef Night are highly recommended and can be made
by calling Marion Court Room at 399-1970.
Justin Quinn's e-mail address is jquinn@lnpnews.com.

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April 06, 2006


Thursday
All Day

LGH Psychiatric Ward 8 East -- North Duke Street, Lancaster, PA 17602


Please See Above

3:00 PM - 3:30 PM

LGH - Mailed Coninuance Motions to Judge McLaughlin and Judge Fehling -- Lancaster General Hospital

April 07, 2006


Friday
All Day

LGH Psychiatric Ward 8 East -- North Duke Street, Lancaster, PA 17602


Please See Above

9:00 AM - 10:00 AM

Conestoga Speeding Tickets & Inspection Hearing -- 25 E. State Street, Quarryville, PA 17566 786-1246

This court has received your plea of NOT GUILTY to the above summaly
violation(s). The sum of $ 112.50
has been accepted as collateral for your appearance at trial.
Your trial has been scheduled as follows: PLEASE TAKE NOTE WHERE
BEARING WILL BE HELD.
You have the right to be represented by an attorney. You have the
right to have any witnesses present. It is your
responsibility to notify your attorney andlor witnesses of this trial
date and time.
Date: 4/07/06
Time: 9:00 AM
Should you fail to appear for your trial, a warrant may be issued for
your arrest.
Place: DISTRICT COURT 02-3-04
25 E. STATE STREET
QWARRMLLE, PA 17566-1246
717-786-7368
Failure to appearior your trial shali constitute consent to triai in
yirur absence and if you are iound guilty, the collateral
deposited shall be forfeited and applied toward the fine and costs.
You shall have the right to appeal within thirty days
for a trial de novo.
If you have any questions, please call the above office

6:00 PM - 7:00 PM

Sheryl at Trump's Taj Mahaj Atlantic City -- Atlantic City, NJ

April 08, 2006


Saturday
All Day

LGH Psychiatric Ward 8 East -- North Duke Street, Lancaster, PA 17602


Please See Above

11:30 AM - 1:30 PM

Fox News' Sean Hannity is coming to town April 8 -- Willow Valley Resort Inn

Consider Katie True an inspiration.


The 41st District state legislator will be honored this week as one of "Six Inspirational Women
of Pennsylvania" by the Pennsylvania Commission for Women, which True once headed.
The award will be presented at 10 a.m. Wednesday at the Commonwealth Keystone Building
in Harrisburg.
True, who's running for her third term, so far without opposition, said Rep. Jackie Crahalla, RMontgomery County, nominated her for the Women's History Month award.
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Saturday
Last week, True was losing her voice, but she's been heard loud and clear on the topic of
legislative reform.
True is an original member of the Jefferson Reform Initiative, a group of lawmakers -- now
about 23 strong -- promoting a package of bills to change the way the General Assembly does
business.
The outcry over the July pay raise, later repealed, proved to be a catalyst for the reform
caucus, which has taken aim at the control of the legislative process held by House
leadership.
Among the proposals: enact a lobbyist disclosure bill; set term limits for committee chairmen;
prohibit substantive amendments to bills in the Rules Committee, which leadership controls;
reconsider the "sine die," or lame-duck, session held between the November legislative
election and session adjournment; amend the slots law to close loopholes, including the 1
percent legislative ownership provision; and consider a constitutional convention to address
shrinking the size of the Legislature.
House Speaker John Perzel, R-Philadelphia, has called for a special committee to draft the
lobbyist legislation; advocates of disclosure fear he's trying to short-circuit the bill.
True is particularly interested in limiting chairmen's terms, an unpopular concept in senioritybound Harrisburg.
The point of the reform agenda is to "restore the public's shattered confidence in the General
Assembly," according to a letter that True and six other House members sent to their
colleagues in November seeking support for the proposals.
"The Jefferson Reform Initiative seeks to reverse the concentration of power in a few and
distribute it to the benefit of all members and the constituents we represent."
lTimothy L. Callahan, the endorsed Democrat in the 97th state House district, kicked off his
campaign last week at the Jewish Community Center in Manheim Township.
"In Harrisburg, legislators of both parties participate in the illegal pay grab," he said at the
kickoff. "We see that legislators have not seen fit to raise the state's minimum wage from
$5.15 an hour in nine years. ... I run for representative with the very deep belief that we can
and must do better."
lMike Folmer, challenging state Sen. Chip Brightbill in the 48th District GOP primary, said last
week that he will take his message "to the people" after the Lebanon County Republican
Committee endorsed Brightbill.
"Unfortunately for the leadership of the Republican Party, by endorsing my opponent, they
must now explain to rank-and-file Republicans why they should vote for a candidate who has
voted to increase taxes by $7 billion while allotting himself a $100,000 salary, free health care
and a pension increase of 50 percent," Folmer said.
lThe Lancaster County Democrats' executive committee has waded into the fight over raising
the minimum wage in Pennsylvania, adopting a resolution Thursday calling for a minimum
wage "that sustains healthy family life." The Democrats said the federal poverty line for a
family of three is $16,090, while one full-time minimum-wage earner "would fall well below
that level to $10,700." The minimum wage is $5.15 an hour; Gov. Ed Rendell proposes
raising it to $6.25 this year and $7.15 in 2007.
lMark your calendars, Republicans: Fox News' Sean Hannity is coming to town April 8 on
behalf of U.S. Sen. Rick Santorum. Scott Martin, co-chairman of Santorum's Lancaster
County campaign, said Hannity will appear at a luncheon at Willow Valley Resort. For
information, check out www.goplancaster.com or call 392-4165.
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April 08, 2006 Continued


Saturday
lCasinoFreePA, a statewide coalition opposed to legalized gambling, will hold its own public
hearing on a bill that would repeal the slots law at 10 a.m. March 6 at Grace Methodist
Church, 216 State St., Harrisburg.
"With all the criticism our General Assembly has taken for passing both the slots law and its
infamous pay-raise bill in unconstitutional fashion, we thought the House would at least agree
to hold a public hearing on a slots repeal bill," said CasinoFreePA coordinator Dianne Berlin
of Penryn. "Since the House has declined to do so, we've decided to hold our own."
lPedro A. Corts, secretary of the Pennsylvania Department of State, has been named a
public policy fellow at Franklin & Marshall College. The Pennsylvania Public Policy Fellow
Program is administered by the Center for Politics and Public Affairs in the Floyd Institute.
Corts is the first confirmed Latino Cabinet member in Pennsylvania history.
For the rest of the year, I'm dedicating space to the "Noah Wengerism of the Week."
The quotable 36th District senator is retiring at the end of the year. We'll miss lines like this
one, delivered Friday at the United Way's legislative breakfast, on the challenges of funding
programs for senior citizens:
"Especially when you get to be my age, you're pleased that people are living longer."
Helen Colwell Adams is the Sunday News political writer. E-mail her at
hcolwell@lnpnews.com, or phone 291-4962.

April 09, 2006


Sunday
All Day

LGH Psychiatric Ward 8 East -- North Duke Street, Lancaster, PA 17602


Please See Above

April 10, 2006


Monday
12:00 AM - 12:00 AM

LGH Psychiatric Ward 8 East -- North Duke Street, Lancaster, PA 17602


Please See Above

9:00 AM - 9:30 AM

Lancaster General Hospital Missing Mail

Civil Action Complaint given to Staff to mail at 1:00am missing, rest of mail shown to me and
was never mailed.
10:00 AM - 10:30 AM

Dr. Pressley 2nd Opinion Dr. Bill

Met with Dr. Bill, would not answer question regarding verifying 302 Order.

April 11, 2006


Tuesday
All Day

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Jduge Anita Brody Appeal to Fulton Bank Stay Entered -- Philadelphia, PA

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April 11, 2006 Continued


Tuesday
1:00 PM - 1:30 PM

Judge McLaughlin Order for Continuance to May 11

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
Stanley J. Caterbone

CIVIL ACTION

V.
LANCASTER COUNTY PRISON, ETEL.

NO. 05-2288

ORDER
AND Now on this day 11th of April 2006, upon consideration of the plaintiff's Notice for
Continuance (Doc. No. 22), IT IS HEREBY ORDERED that the case shall be placed in civil
suspense until May 11, 2006

BY THE COURT:
_________________________
MARY A. McLAUGHLIN, J.

ENTERED 12 2006
CLERK OF COURT (Stamp)

1:00 PM - 1:30 PM

Judge McLaughlin Order for Continuance to May 11

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
Stanley J. Caterbone

CIVIL ACTION

V.
LANCASTER COUNTY PRISON, ETEL.

NO. 05-2288

ORDER
AND Now on this day 11th of April 2006, upon consideration of the plaintiff's Notice for
Continuance (Doc. No. 22), IT IS HEREBY ORDERED that the case shall be placed in civil
suspense until May 11, 2006

BY THE COURT:

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April 11, 2006 Continued


Tuesday
_________________________
MARY A. McLAUGHLIN, J.

ENTERED 12 2006
CLERK OF COURT (Stamp)

April 12, 2006


Wednesday
11:00 AM - 11:30 AM

Start Nextel Phone Service -- Park City Shopping Center, Lancaster, PA

4:00 PM - 4:30 PM

Sent Transcript to Judicial Conduct Review Board -- Harrisburg, PA

COMMONWEALTH OF PENNSYLVANIA
JUDICIAL CONDUCT BOARD
PENNSYLVANIPAL PLACE 301 CHESTNUT STREET SUITE 403.
HARRISBURPG, PA, 17101 717-234-7911

March 27,2006
Stanley Caterbone
220 Stone Hill Road
Conestoga, PA 17516
RE: Judicial Conduct Board Complaint No. 05-256
(Magisterial District Judge Leo H. Eckert, Jr. - Lancaster County)
Dear Mr. Caterbone:
The Board is presently reviewing your complaint.
In your complaint, you state that you secured a court reporter to transcribe the
hearing on your citation for Harassment held on May 10,2005. As your complaint
claims that District Judge Eckert displayed improper demeanor toward you at that time,
the Board is requesting that you provide a copy of the transcript for review.
As you privately arranged for a reporter, the transcript is not a part of the official
district court file. Therefore, the Board cannot obtain it on its own. Since you did not
include a copy with your complaint, I am requesting that you provide it at this time.
Please provide the additional requested information to the Board within
thirty (30) days from the date of this letter.
I remind you the Pennsylvania Constitution provides that all proceedings of the
Board are confidential except when the subject of the investigation waives
confidentiality. Pa. Const. Art. V, 418(a)(8). The Board cannot provide status reports of
its investigation; however, you will be notified of the Board's decision on your complaint
following appropriate review.
Very truly yours,
FJP I1 Deputy Chief Counsel
All Complaints of the Board are not public information and all proceedings relating to a
complaint are confidential and the records of any deliberations shall be confidential.
See Pa Const Article V and 18

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April 13, 2006


Thursday
7:00 PM - 7:30 PM

Sheryl left Kennett in Jeep -- Kennett, MO

April 14, 2006


Friday
11:00 AM - 12:00 PM

34 Foot Admiral Holiday Rambler -- Melot Brothers, Willow Street, PA

Test Drove 30 foot


9:00 PM - 12:00 AM

Bellvedeere Inn -- Queen and James St, Lancaster

Out with Sheryl (Washington D.C.) sheryl gets room and goes out. Someone again accosts
her from her room.
9:00 PM - 11:00 PM

The Sharks Live -- The Village, Lancaster

Walked in and wanted to pay for ticket, said wanted to see Gus and walked into Village.
Dave and Heather, Ken Ray & Carol, Den Lilly, Kratzert, Suzanne Porter,Brett, Fred, Billy T.
Joe Klaus,

April 15, 2006


Saturday
12:00 AM - 2:00 AM

Bellvedeere Inn -- Queen and James St, Lancaster


Please See Above

April 16, 2006


Sunday
12:00 AM - 12:30 AM

George at Village Would not let me back in. -- Village Nightclub, Christian Street,Lancaster, PA

Said about ticket, and he would not let me pay him for the ticket.

April 17, 2006


Monday
5:00 PM - 5:30 PM

Cable Disconnected Paid Comcast at Office -- 1130 N. Duke Street, Lancaster, PA

All Cable disconected at telephone pole.


Sov Bank Project Hope Check #129
Susan Gibson would not turn cable and internet on. Said I had to pay $990.42

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April 17, 2006 Continued


Monday
April 18, 2006
Tuesday
All Day

Comcast Suit Fax to Anita Brody

Re: Civil Action 05-2288


The 5 page fax you sent through eFax.com to 12155802356
was successfully
transmitted at 2006-04-19 00:28:29 (GMT).
The length of transmission was 96 seconds.
The receiving machine's fax ID: .
___________________________________________________________________________
_______________
"for your information"..
Attachments: Comcast Suit, Order of Arpil 10
7:30 AM - 8:00 AM

Gave Dorny Ride to Truck -- Central Manor Road

7:30 AM - 8:00 AM

Millersvile Boro Police Report 872-4657 -- Millersville Boro Police Dept Precint

Patrolman Michael K. Schaeffer, who took report on


MU-00509

gave me incident no. 2006-

Phone 717-872-4657
Fax 717-872-4705
10 Colonial Avenue
Millersville, PA 17551
1:00 PM - 1:30 PM

Comcast Suit -- AMG Office

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Stanley J. Caterbone
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania
V

:
:
:
:

Comcast Cable
4008 N. Dupont Hwy
New Castle, DE 19720
Comcast Cable
Susan Gibson
1113 South Duke Street
Lancaster, PA 17602

STATE OF PENNSYLVANIA
Advanced Media Group

:
:
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April 18, 2006 Continued


Tuesday
COUNTY OF LANCASTER

: ss

___________________________________________________________________________
______________________

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

COMPLAINT

Defendant did knowingly and willingly obstruct the plaintiffs fair access to the courts. Plaintiff
extorted $990.46 on April 17, 2006. Plaintiffs current chapter 11-bankruptcy petition protects
the plaintiff from the malicious interruption of services. Such said services were requited for
plaintiff to communicate with the courts, both Federal and State civil courts, and to continue
his due process of the law.
Plaintiff Account Number:

09549 200389-10-4

Plaintiff seeks trial by jury and damages in excess of $7500.00

Dated: April 18, 2006

__________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax

___________________________________________________________________________
_______________________

COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
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Tuesday
LANCASTER COUNTY

CERTIFICATE OF SERVICE

Stanley J. Caterbone represented by Stanley J. Caterbone


220 Stone Hill Road PRO SE
Conestoga, PA 19516
Schedule F
Addendum to Add Creditors to Schedule
Service To:
Comcast Cable
4008 N. Dupont Hwy
New Castle, DE 19720
Comcast Cable
Susan Gibson
1113 South Duke Street
Lancaster, PA 17602

Certificates of Service were sent by United States 1st Class Mail on April 22, 2006.
By, ________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax

2:00 PM - 3:00 PM

Lancaster County Assistance Application -- Manor Street, Lancaster, PA

Applied for Food Stamps


5:00 PM - 5:30 PM

Pham Computers -- Lititz Pike

Said could not order Avaratec Power cord, said it might be internal power supply.
9:00 PM - 9:30 PM

Priority Mail Wcrow & Daile High -- Harrisburg Pike

Priority mail transaction No. 72


USPS 414408-9550
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
Advanced Media Group

135

9/25/2006 10:03 AM

April 18, 2006 Continued


Tuesday
April 17, 2006
Mr. Dale High
High Industries
1853 William Penn Way
Lancaster, PA 17601
Dear Dale:
How much is that shovel going to be worth? Guess the Convention Center is still a pain in
your backside, and its been almost a year since you said that.
I have another issue. I recently had a problem booking a reservation in your new Marriot.
Nevin directed me to discuss this issue with Beth Reese of the Hotel group. Last week I was
escorted out of the Marriott, while leaving a message for Beth Reese at the front desk.
I was checking my email, by the way, I really like the open business center, and your
management team ordered me off the property. When I would not leave right away, an East
Lampeter Township Policeman escorted me out of the lobby.
I just wanted to alert you of this situation, and wanted to get together to find out if I am or am
not allowed on your property.
Hope to see the ground breaking soon.
Stan J. Caterbone
___________________________________________________________________________
__________________________April 18, 2006
Wendell Crow
308 First St
Kennett, MO 63857-2055
(573) 888-4664
Dear Wendell;

I hope things are settled down for you. I need to know if you ever received the CDRoms that I sent to you, for Sheryl.
Could you please mail everything to Sheryl via priority mail, after you have copied them?
And could you please mail me a copy of the document you prepared?
Sorry for the problems. Please let me know that you sent the items to Sheryl.
Stan
___________________________________________________________________________
___________________________

Advanced Media Group

136

9/25/2006 10:03 AM

April 19, 2006


Wednesday
5:00 PM - 5:30 PM

Pres Bush Email -- 220 Stone Hill Road

From : Advanced Media Group <amgroup01@msn.com>


Sent : Wednesday, April 19, 2006 4:58 AM
To :
<comments@whitehouse.gov>
Subject :
Re Sheryl, we have a problem!
_____

See Federal Civil Action No. 05-2288


Sent February 19, 2005
"To: President George W. Bush
From: Mr. Stan Caterbone <amgroup01@msn.com>
Subject: Write a Supporting Comment on National Security (Iraq)
Dear President Bush:
Dear President Bush:
I need to know if any information contained herein compromises the
security of the United States of America. I have been getting mixed
signals as to this question, and my life has been constantly
threatened because of this document. I would submit to a polygraph
to verify the credibiltiy of any of the facts contained in this
document. I was the sole author of this writing back in 1998.
If you believe that this document does threaten our Nationa Security,
I would like to personally deliver the accompanying information
assets to yourself or the National Security Agency upon request.
If you believe that this document does not compromise the National
Security in any manner, then I would ask that you uphold my civil
liberties in continuing my efforts to adjucate these matters and find
an opportunity for remedy in the appropriate court of law.
I remain,
Stan J. Caterbone
Sincerely,
Stan Caterbone
Address: 220 Stone Hill Road"
Advanced Media Group

137

9/25/2006 10:03 AM

April 19, 2006 Continued


Wednesday

April 22, 2006


Saturday
12:00 AM - 1:00 AM

Lancaster City Police Take My Keys -- Lancaster City Police Station, Chestnut Street, Lancaster, PA

Waslked in to get a copy of Littering Citation, (Rick) Desk Officer


began yelling at me and told me that I was driving while drinking,
even though my car was parked. Officer asked for my key after he
followed me out to my car, gave me a parking ticket for parking
infront of the Police sation, and would not let me get out of my car.
I gave him my key and he asked me if I was drinking, 6 drinks since
6:00pm. I requested a breathalyzer, and he said he did not need one
and they would impound my car until the next morning. I walked up to
House of Pizza, got a bottle of water and went back and sat in my car
until 1:00 am and got the spare key and drove home.

6:00 AM - 7:00 AM

Drove to get a paper.

Took a shower at Mom's house to go back to Lancaster City Police


Station for my Key and license.

10:00 AM - 11:00 AM

Lancaster City Police Station -- Chestnut Street

Went in to get license and key and Desk Officer (woman) kept yelling
at me and gave my key back and said I would have to come back tonight
to get my license back.
Told me to get out of station and never to
come back again!

10:30 AM - 11:30 AM

Lancaster County Library -- Duke Street, Lancaster City

Update calender and email.

Tried to lock me out of system.

April 23, 2006


Sunday
1:00 PM - 1:30 PM

Sports Authority Propane Lantern -- Red Rose Commons, Fruitville Pike, Lancaster, PA 17601

1 lantern
3 propane tanks
3 bags
30.42

April 24, 2006


Monday
2:30 PM - 3:00 PM

LiHeap Application -- CAP, S. Queen Street, Lancaster,PA

No More walkins, told to come back tommorrow


Lois Gascho on vacation out all week.

Advanced Media Group

138

9/25/2006 10:03 AM

April 25, 2006


Tuesday
8:00 AM - 9:00 AM

LiHeap Application -- Community Action Program, S. Queen Street, Lancaster

$600 from LiHeap, Bankruptcy papers faxed to PP&L;


Docket
Judge Anita Brody Order of Oct 5
PP&L to turn on Electric on Wed am.

9:00 AM - 9:30 AM

Reading Court Hearing Parking Meter

9:00 AM - 9:30 AM

Reading Court Hearing Parking Meter

1:30 PM - 2:30 PM

Lancaster County Library -- North Duke Street, Lancaster, PA

Got MSN Alert for Reading Parking Ticket Hearing, called District Justice in Reading

2:00 PM - 2:30 PM

FBI Internet Crime Unit -- Online

Reported calender hacked and alert for Reading Parking Ticket and Alert changed.

April 26, 2006


Wednesday
12:00 AM - 5:00 PM

Advanced Media Group

Judge Anita Brody Appeal Due

139

9/25/2006 10:03 AM

April 26, 2006 Continued


Wednesday
12:00 AM - 5:00 PM

Advanced Media Group

Judge Anita Brody Appeal Due

140

9/25/2006 10:03 AM

April 26, 2006 Continued


Wednesday
8:00 AM - 8:30 AM

Freemont Street -- lancaster, PA

Went home

10:00 AM - 10:30 AM

Sheryl Home Depot

10:30 AM - 11:00 AM

Lancaster County Assistance Food Stamps -- Manor Street, Lancaster, PA

17603

Said denied last year because of resources (5,000 in bank, credit


card liability)
Said denied last year becasuse failed to show to interview.
Would not tell me how long to get food stamps

April 27, 2006


Thursday
2:30 AM - 3:00 AM

Advanced Media Group

District Justice Ballentine Caterbone v. Comcast -- 131 Locust Street, Lancaster, PA

141

17602-3609

9/25/2006 10:03 AM

April 27, 2006 Continued


Thursday
4:00 PM - 4:00 PM

Sheryl left for airport -- Kennett

April 28, 2006


Friday
3:00 AM - 3:30 AM

Amended LGH & Southern Regional Police Department -- Lancaster County Courthouse

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
COUNTY OF LANCASTER
CIVIL DIVISION

Stanley J. Caterbone
Advanced Media Group

CIVIL COMPLAINT CI-06-03349


CIVIL DIVISION

v.

Dr. Emily Pressley, Psychiatric Department


Ward 8 East
Lancaster General Hospital
320 North Duke Street
Lancaster. PA 17602
Lancaster General Hospital
320 North Duke Street
Lancaster. PA 17602
___________________________________________________________________________
______________________

CIVIL COMPLAINT
1.

On April 5th, 2006, Defendants did falsely imprison Defendant at Approximately

3:15 EST at the emergency intake unit of the Lancaster General Hospital, Duke Street,
Lancaster County, Pennsylvania.
2.

Upon request, Agents of the Lancaster General Hospital failed to produce any

official documentation to support the apprehension of the Plaintiff or the holding of the
Plaintiff in said facility.
Advanced Media Group

142

9/25/2006 10:03 AM

April 28, 2006 Continued


Friday
3.

Defendants did open locking cell and plaintiff gain asked for documentation,

plaintiff walked out of the holding cell, and not documentation was produced, agent for
defendant picked plaintiff up and literally threw plaintiff back into holding cell.
4.

Between 3:30pm and 7:15pm Dr. Riley examined plaintiff by asking the following

questions:
a. Do you drink alcohol?
b. Do you take drugs?
c. May I listen to your heart and drugs?
The preceding examination took under 2 minutes and was not near sufficient for
the requirements as outlined in the 302 petition, whether legal or not.
5.

Mental Duress: Agents, employees, and staff of the Lancaster General Hospital

did engage in planned and occasional events to inflict, cause, and provoke extreme
mental duress.
6.

Agents, employees, and staff did obstruct justice and cause plaintiff to suspend,

neglect, and or cease all activities relating to CA 05-0288 and TMT 05-23059 in an overt
Page 1 of 2
___________________________________________________________________________
_________________________
attempt to interfere with Plaintiffs constitutional right to due process.
7. Agents, employees, and or staff did subject Plaintiff to a life threatening environment
when patient William X was intentionally given a ball point pen immediately after Angela
X administered a drug, and William X stood 1 foot away from Plaintiff and held ball point
pen as a knife. Plaintiff had to immediately remove himself from the immediate area.
Agents, employees, and or staff subjected Plaintiff to further harm by condoning and
further provoking situation. As of April l0th, 2006, Plaintiff is still falsely imprisoned.
8. Agents, employees, and or staff did take from Plaintiffs possession a white bank
envelope containing Seven Hundred and Forty-Three dollars ($730.00) which was not
included in Plaintiffs Possession Form.
Plaintiff requests trial by jury and seeks damages in excess of $10,000.00

Dated: April l0th, 2006


Advanced Media Group

_________________________________
143

9/25/2006 10:03 AM

April 28, 2006 Continued


Friday
Stanley J. Caterbone
Stanley J. Caterbone, Pro SE
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
Page 2 of 2
___________________________________________________________________________
___________________________
COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
LANCASTER COUNTY

CERTIFICATE OF SERVICE

Stanley J. Caterbone
Represented by Stanley J. Caterbone, Pro Se
Conestoga, PA 19516
717-431-8184 Phone
717-427-1621 Facsimile
amgroup01@msn.com Email

Service To:
Dr. Pressley, Psychiatrist
Lancaster General Hospital
320 North Duke Street
Lancaster, PA 17603
Dr. Pressley, Psychiatrist
Lancaster General Hospital
320 North Duke Street
Lancaster, PA 17603

Certificates of Service were delivered in person on April 27, 2006.


By, ________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone

____________________________________
________________________
EXHIBIT A
Advanced Media Group

144

9/25/2006 10:03 AM

April 28, 2006 Continued


Friday
___________________________________________________________________________
____________________
EXHIBIT B
___________________________________________________________________________
_____________________
EXHIBIT C
___________________________________________________________________________
__________________________
EXHIBIT D
___________________________________________________________________________
__________________________
EXHIBIT E
___________________________________________________________________________
___________________________
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Stanley J. Caterbone
Advanced Media Group
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania
NO.CI-06-03401

: CIVIL ACTION
:

CIVIL DIVISION

:
:

Southern Regional Police Department


Chief John A. Fiorill
Officer Buzzer
Officer Fedor
Southern Regional Police Department
3284 Main Street
Conestoga, PA 17516
STATE OF PENNSYLVANIA

:
:
:
:
: ss

COUNTY OF LANCASTER

___________________________________________________________________________
___________________________
Advanced Media Group

145

9/25/2006 10:03 AM

April 28, 2006 Continued


Friday
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

COMPLAINT

1. Libel: On several occasions officers did willfully and knowingly commit acts of libel
by verbally communicating and alleging plaintiff suffers from mental disorders without
merit and with malice with intent to cause harm to plaintiffs reputation; cause plaintiff
stress; cause harm to business affairs and to obstruct plaintiffs federal civil litigation.
2. Slander: Police Department did slander plaintiff and his business.
3. Harassment: Officers did harass plaintiff at plaintiffs home on several occasions.
4. Police Brutality: On several occasions officers did physically abuse plaintiff without
just cause and with malice.
5. Undo influence: Police Department is causing plaintiff problems and is obstructing
plaintiffs right to due process regarding his Federal Civil Action 05-2288 currently in
the United States Eastern District Court of Philadelphia Pennsylvania.
6. False Imprisonment: On April 5, 2006 Officer Buzzer did knowingly and willing falsely
imprison plaintiff and maliciously attack plaintiff and make false statements to
authorities and to Lancaster General Hospital.
7. Officer Buser was responsible for the envelope with $750.00 cash and therefore
committed a criminal offense of theft by deception.
Plaintiff seeks trial by jury and damages in excess of $10,000.

April 28th, 2006

Dated:

By, ________________________________
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1624
amgroup01@msn.com
Page 1 of 1
___________________________________________________________________________
__________________________
COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
LANCASTER COUNTY

CERTIFICATE OF SERVICE

Advanced Media Group

146

9/25/2006 10:03 AM

April 28, 2006 Continued


Friday
Stanley J. Caterbone represented by Stanley J. Caterbone
Advanced Media Group
220 Stone Hill Road PRO SE
Conestoga, PA 19516

Service To:
William W. Cambell, Attorney of Record
303 West Fourth Street
Quarryville, PA 17366
717-786-4044 phone
717-786-1524 facsimile
For:

Southern Regional Police Department


Chief John A. Fiorill
Officer Buzzer
Officer Fedora
Southern Regional Police Department
3284 Main Street
Conestoga, PA 17516

Certificates of Service were personally delivered on April 28TH , 2006.


By, ________________________________
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1624
amgroup01@msn.com

11:30 AM - 12:00 PM

Lancaster County Courthouse Amended Lancaser General Hospital Civil Complaint -- 50 North Duke
Street, Lancaster, PA 17601

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
COUNTY OF LANCASTER
CIVIL DIVISION

Stanley J. Caterbone
Advanced Media Group
CI-06-03349

CIVIL COMPLAINT
CIVIL DIVISION

v.
Advanced Media Group

147

9/25/2006 10:03 AM

April 28, 2006 Continued


Friday
Dr. Emily Pressley, Psychiatric Department
Ward 8 East
Lancaster General Hospital
320 North Duke Street
Lancaster. PA 17602
Lancaster General Hospital
320 North Duke Street
Lancaster. PA 17602
CIVIL COMPLAINT

1.
On April 5th, 2006, Defendants did falsely imprison Defendant
at Approximately
3:15 EST at the emergency intake unit of the Lancaster General
Hospital, Duke Street,
Lancaster County, Pennsylvania.
2.
Upon request, Agents of the Lancaster General Hospital failed
to produce any
official documentation to support the apprehension of the Plaintiff
or the holding of the
Plaintiff in said facility.
3.
Defendants did open locking cell and plaintiff gain asked for
documentation,
plaintiff walked out of the holding cell,

4:00 PM - 4:30 PM

Service to Lancaster General Hospital -- 131 North Duke St. Lancaster,PA 17602

Emily at information desk, called to corporate, would not give me directions to department,
served 2 copies to LGH and Dr. Pressley
5:00 PM - 5:30 PM

Service to William Cambell of Southern Regional Police -- 131 W Fourth Street, Quarryville, PA

17

Left copy inside door. See pictures.


7:30 PM - 8:00 PM

Barnstormers Opening Game

April 29, 2006


Saturday
All Day

Tommy's Aniversary

Planted our garden.

May 01, 2006


Monday
8:30 AM - 9:00 AM

Totaro's Office, Lancaster County DA Office -- Lancaster County Courthouse

Requested meeting, told to write letter.


Advanced Media Group

148

9/25/2006 10:03 AM

May 01, 2006 Continued


Monday
Obstruction of Justice
Southern Regional Police
Shellenberger
9:00 AM - 9:30 AM

Lancaster County Commissioners Office -- Lancaster County Courthouse

Copy of Letter to Henderson, tried to make appointment, staff said will not see me for
meeting.

May 02, 2006


Tuesday
4:00 AM - 4:30 AM

Millersville Boro Police Incident Report -- Manor Avenue Millersville, PA

Now, said cannot have incident report.

April 21, 2006

Advanced Media Group


Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516

Millersville Borough Police Department


Michael K. Schaefer
10 Colonial Avenue
Millersville, PA 17551

Re:Incident Report No. 2006-MV-00509

As per your instructions, I am hereby formally and officially requesting a copy of the
above incident report concerning stolen case for my current litigation with Lancaster
General Hospital (Docket No. CI-06-03401) and Southern Regional Police Department
(Docket No. CI-06-03401) both in the Commonwealth Court of Common Pleas.
Please mail or facsimile to (717) 427-1621.

Respectfully,

Stanley J. Caterbone, Pro Se


Advanced Media Group

149

9/25/2006 10:03 AM

May 02, 2006 Continued


Tuesday
4:30 AM - 5:00 AM

Lance Look alike peddling on near Penn Manor Middle School

12:30 PM - 1:00 PM

USPS Cyclist on River Road

3:00 PM - 3:30 PM

Danny Hershey -- Stehman Road

Talked to Danny for awhile; Gun Shop; told me about DA Detective M. Landis being a
"problem and a lunatic", kept telling me about him, said he lived near Dave on Slackwater
Road, asked if I was having a problem with Dave, and said he was a problem, asked if I
still worked there.

May 03, 2006


Wednesday
10:00 AM - 10:30 AM

Sheryl tried to go Home

11:00 AM - 11:30 AM

Talked to Chief Rochet via phone of Millersville Boro Police requested incident Report

Told me to call Sue Moyer of the Lancaster County DA office, would not give incident report

FAX COVER SHEET


TO
COMPANY
FAX NUMBER
FROM
DATE
RE

COVER MESSAGE
+1-7172953693
Stan Caterbone
5/03/06 9:28 AM
April 5 incident
You are lying Sir, there was a Millersville Boro Police
Cruiser that blocked me and pinned my vehicle against the
front bumper of the Southern Regional Police Cruiser. That
Millersville Boro Police Cruiser pulled diagonally on S.
Duke Street blocking the street. That Millersville Boro
Police Cruiser was white with sirens on the top. It was not
an unmarked car, as you stated to me today on the telephone.
The Millersville Boro Police Cruiser and the Southern
Regional Police Cruiser pinned my vehicle with thier bumpers
against my bumbers.
The incident report is for the report taken by your Officer
from me at your station for the stolen envelope with
approximately $740.00. It was last in my posession as you
and the other police emptied my pockets and put all of the
contets in the middle of the road on S. Duke Street, which
is in your jurisdiction, not Southern Regional Police
jurisdiction. The entire incident was recorded on my
Digital Audio Recorder, starting when Officer Buser was
chasing me on Kendig Road;
"Will someone put all of this stuff in a bag? I have money
right there.
Advanced Media Group

150

9/25/2006 10:03 AM

May 03, 2006 Continued


Wednesday
"I have money right there. In that envelope.
Okay. Yeah, its that envelope. ($743.00) ____________.
Theyre fine. The cops are fine."
I don't know what District Attorney Sue Moyer has to do with
a report of stolen property in your jurisdiction, and I
don't understand why your would put me in harms way by
telling me to go see the Southern Regional Police Department
about the stolen money in your jurisdiction. I will not see
Officer Buser, I am afraid to be in his presence, ever since
the altercations and his physicals threats dating back to
February of 2005.
Sue Moyer
Lancaster County District Attor
www.efax.com

2:00 PM - 2:30 PM

Called Frank McCabe of High Hotels

Would not grant a meeting, faxed my response to him

FAX COVER SHEET


TO
COMPANY
FAX NUMBER
FROM
DATE
RE

COVER MESSAGE
+1-7172934470
Stan Caterbone
5/03/06 1:59 PM
Todays Conversation
Mr. McCabe;
Attached are the 2 documents and correspondence emails that
lead me to the Marriot looking for Ms. Reese. I used the
computers to locate this email because I could not remember
her name. I assume that a meeting with Ms. Reese was a
civil and courteous way to resovle my issues. I did use
your computer to retrieve my emails, sorry for the
inconvenience and will gladly pay you for that use.
I have tried to contact Ms. Reese on several occassions,
without success. Please remember, it was Nevin that
suggested that I contact her in the first place.
I tried to handle my problem in the most civil and
professional manner possible, however it was you and your
contemporaries that were not civil.
Do you really believe that if everyone tells the same story
that it is the truth, as you just stated?
No wonder the Convention Center ordeal wasted some $8
million and 8 years without progress.
Sir, I question your integrety, your professionalism, and
your competence; and I would meet with you on any given day
Advanced Media Group

151

9/25/2006 10:03 AM

May 03, 2006 Continued


Wednesday
to debate that statement.
You are lying about who harrased who, but then again, you
don't care as long as everyone believes the same lie.
Good Day, Sir
cc: Nevin Cooley
Mr. Frank McCabe
High Hotels
www.efax.com

May 04, 2006


Thursday
1:00 AM - 1:30 AM

Email to Michael Landis, Lancaster County Detective -- 50 N. Duke Street, Lancaster, PA

17602

I think it is the judicial branch of government, not the executive; but thanks for the information
anyway. I will handle the problem we discussed today in another manner. As I stated, I will
not put myself in harms way by going near Officer Buser of Southern Regional.
I will find another way to comply with the order and get fingerprinted elsewhere.

Advanced Media Group


Stan Caterbone
mailto: amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Fax: (717) 427-1621
Advanced Media Group
1:30 AM - 2:00 AM

Civil Complaint Pam Pflumm


AOPC 308A-05

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: Lancaster CIVIL COMPLAINT
Magisterial District Number:

02-2-06

MDJ Name: Hon

Leo H. Eckert, Jr.


Address: 841 Stehman Road
Millersville, PA 17551-9753
Telephone: (717)872-4361
PLAINTIFF: NAME and ADDRESS

Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
DEFENDANT: NAME and ADDRESS

Pamela Sue Pflumm


4538 Main Street
Conestoga, PA 17516
Docket No.:
Date Filed:
AMOUNT DATE PAID
FILING COSTS $ / /
POSTAGE $ / /
SERVICE COSTS $ / /
CONSTABLE ED. $ / /
TOTAL $ / /
Advanced Media Group

152

9/25/2006 10:03 AM

May 04, 2006 Continued


Thursday
Pa.R.C.P.D.J. No. 206 sets forth those costs recoverable by the prevailing party.
TO THE DEFENDANT: The above named plaintiff(s) asks judgment against you for $ together
with costs
upon the following claim (Civil fines must include citation of the statute or ordinance violated):

Unsworn falsification of statements to authorities relating to the 302 executed on April 5, 2006
and the following
incarcartion leading to the admission to Lancaster General Hospital.
Defendant did falsley provide a misleading statement to authorities with the intent to
malicously libel plaintiff.
I, Stanley J. Caterbone verify that the facts set forth in this complaint are true and correct to the
best of my knowledge, information, and belief. This statement is made subject to the penalties
of Section 4904 of the Crimes
Code (18 PA. C.S. 4904) related to unsworn falsification to authorities.
Plaintiffs
Attorney: Stanley J. Caterbone, Pro Se Address: 220 Stone Hill Road
Telephone: (717)431-8184 Conestoga, PA 17516

IF YOU INTEND TO ENTER A DEFENSE TO THIS COMPLAINT, YOU SHOULD SO NOTIFY THIS
OFFICE IMMEDIATELY AT THE
ABOVE TELEPHONE NUMBER. YOU MUST APPEAR AT THE HEARING AND PRESENT YOUR
DEFENSE. UNLESS YOU DO,
JUDGMENT MAY BE ENTERED AGAINST YOU BY DEFAULT.

If you have a claim against the plaintiff which is within magisterial district judge jurisdiction
and which you
intend to assert at the hearing, you must file it on a complaint form at this office at least five
(5) days
before the date set for the hearing.

VS.
(Signature of Plaintiff or Authorized Agent)

AOPC 308A-05

If you are disabled and require a reasonable accommodation to gain access to the
Magisterial
District Court and its services, please contact the Magisterial District Court at the
above address
or telephone number. We are unable to provide transportation.

2:00 AM - 2:30 AM

Sgt Buser Criminal Complaint emailed to Totaro for Approval


AOPC 411A-05 1-2

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF:Lancaster
Magisterial District Number:

02-2-06
MDJ Name: Hon

Leo H. Eckert, Jr.


Address: 541 Stehman Road
Millersville, PA 17551-9753
Telephone: (717)872-4361 Sgt Robert C. Buser
Docket No.:
Date Filed:
OTN:
Southern Regional Police Departmen
P.O. Box 254
Conestoga, PA 17516
Notice: Under Pa.R.Crim.P. 506, your complaint may require approval by the attorney for the
Commonwealth before it can be
accepted by the magisterial district court. If the attorney for the Commonwealth disapproves
your complaint, you may
petition the court of common pleas for review of the decision of the attorney for the
Commonwealth.

Fill in as much information as you have.


Defendants Race/Ethnicity

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153

9/25/2006 10:03 AM

May 04, 2006 Continued


Thursday
White Black
Asian Native American
Hispanic Unknown
Defendants Sex
Female
Male
Defendants D.O.B.
Defendants Social Security Number
Defendants SID (State Identification Number)

Badge 401-PA0363500
Defendants A.K.A. (also known as)
Defendants Vehicle Information
Plate Number State Registration Sticker (MM/YY)
Defendants Drivers License Number
State

I, Stanley J. Caterbone
(Name of Complainant-Please Print or Type)

do hereby state: (check appropriate box)


1. I accuse the above named defendant who lives at the address set forth above
I accuse the defendant whose name is unknown to me but who is described as
I accuse the defendant whose name and popular designation or nickname is unknown to me
and whom I have
therefore designated as John Doe
with violating the penal laws of the Commonwealth of Pennsylvania at Conestoga Township
(Place-Political Subdivision)

in Lancaster County on or about April 12, 2006


Participants were: (if there were participants, place their names here, repeating the name of
the above defendant)
Sgt. Robert Buser; Chief of Police Rocert of Millersville Boro;
Officer Eisenhower, West Lampeter Towship
Millersville University Police; Swat Team Officer;

PRIVATE
CRIMINAL COMPLAINT
COMMONWEALTH OF PENNSYLVANIA
VS.
DEFENDANT:
NAME and ADDRESS

(Above to be completed by court personnel) (Fill in defendants name and address)


(Continuation of No. 2)
AOPC 411B-05 2-2

Defendants Name:Sgt. Robert Buser


Docket Number:
2. The acts committed by the accused were:
(Set forth a summary of the facts sufficient to advise the defendant of the nature of the offense charged. A citation to the statute
allegedly violated, without more,
is not sufficient. In a summary case, you must cite the specific section and subsection of the statute or ordinance allegedly violated.)

Plaintiff finished filling his vehicle with gasoline at the Conestoga Wagon Store and went into
the store to
purchase a newspaper and pack of cigarettes. After returning to vehicle and pulling away,
plaintiff realized
that the gasoline pump was still in his vehicle, disengaging fuel pump. Plaintiff backed up and
restored the
pump to its proper position while a clerk came out. Plaintiff apolozied to store clerk and told
clerk to tell the
owner, Bill Rankin to call plaintiff if there was any damages. Plaintiff left store and proceeded
north on Main
Street. A Southern Regional Police cruiser passed plaintiff traveling south on Main Street.
Plaintiff
immediately turned around to see if the Conestoga Wagon store had placed a call about
previous incident.
Plaintiff pulled beside the Southern Regional Police cruiser and found the defendant, Sgt.
Buser in the
cruiser. Plaintiff rolled down window and asked "Is there a problem, did the Conestoga
Wagon just call
you?". Defendant said "Stan, I want to talk to you." Plaintiff told defendant that he was busy
and asked if he
was under arrest. Defendant again repeated, "I want to talk to you". Plaintiff again asked
Advanced Media Group

154

9/25/2006 10:03 AM

May 04, 2006 Continued


Thursday
defendant if he had
an arrest warrant, and defendant would not respond. Defendant DID NO
Plaintiff pulled away from Defendant, enroute to the Lancaster County Courthouse to file a
Civil Complaint
against the Southern Regional Police Department, which was completed the evening before
and emailed to
the Lancaster County District Attorney, Donald Totaro.
Defendant followed Plaitiff on Kendig Road with sirens and lights on. Plaitiff immediately
turned on his
Digital Audio Recorder to make notes of incident. (Transcript is available).
Defendant filed a false statement to authorities and filed a Police Prosecution for Fleeing or
Attempting to
Elude Police Officer.
Plaintiff filed the Civil Complaint in the Lancaster County Court of Common Pleas against
Sgt. Buser and the
Southern Regional Police Department on April 11, 2006, the day after Plaintiff was
discharged from the
Psychiatric Unit of the Lancaster General Hospital, after completion of the 5 day rule.
All of which were against the peace and dignity of the Commonwealth of Pennsylvania and
contrary to the Act of
Assembly, or in violation of and
(Section) (Subsection)

of the
(PA Statute)

3. I ask that process be issued and that the defendant be required to answer the charges I
have made.
4. I verify that the facts set forth in this complaint are true and correct to the best of my
knowledge or information and
belief. This verification is made subject to the penalties of Section 4904 of the Crimes Code
(18 Pa.C.S. 4904)
relating to unsworn falsification to authorities.
May 4, 2006
Office of the Attorney for the Commonwealth Approved Disapproved because:
(Name of Attorney for Commonwealth-Please Print or Type) (Signature of Attorney for Commonwealth) (Date)

AND NOW, on this date , I certify that the complaint has been properly completed and
verified.
Signature of Complainant
(Magisterial District) (Issuing Authority)

SEAL
PRIVATE
CRIMINAL COMPLAINT
Date

3:00 AM - 3:30 AM

Fax to Jan McElworth of Kennett Chamber of Commerce

FAX COVER SHEET


TO
COMPANY
FAX NUMBER
FROM
DATE
RE

COVER MESSAGE
+1-5738889802
Stan Caterbone
5/04/06 4:03 AM
Sheryl Crow Stock Certificate
Advanced Media Group

155

9/25/2006 10:03 AM

May 04, 2006 Continued


Thursday
As per our previous conversation, could you please confirm
the whereabouts of the stock certificate from my company
issued to Sheryl for a donation to Scout's Trail.
Also, could you please provide me with an update of the
progress of the trail project.
Sincerely,
Stan J. Caterbone
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 fax
amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Jan McElwrath
Kennett Chamber of Commerce
www.efax.com

May 05, 2006


Friday
8:30 AM - 12:00 PM

2006 Business Law Seminar: Lancaster -- Lancaster Country Club

2006 Business Law Seminar: Lancaster


Friday, May 5, 2006
8:30 a.m. - 12:00 p.m.; Lancaster Country Club
Please join us in Lancaster for this free half-day seminar featuring six insightful topics
affecting business executives.
More details coming soon.

May 07, 2006


Sunday
12:00 AM - 12:30 AM

Lancaster Airport

May 08, 2006


Monday
2:00 AM - 2:30 AM

Lancaster Aiport

11:00 AM - 11:30 AM

Ric Plum phone callHarleysville Insurance Company

Said he would overnight new affadavit, argued about why no one alerted about defficiencies

May 09, 2006


Tuesday
12:00 PM - 1:00 PM

shwartz

rumor, Tim Shwartz threatened my life and Sheryl's

Advanced Media Group

156

9/25/2006 10:03 AM

May 10, 2006


Wednesday
9:00 AM - 9:30 AM

Fulton Bank Commercial Loan Application -- Columbia Avenue

Branch Manager refused to provide application or any documentation


9:30 AM - 10:00 AM

Fulton Bank Commercial Loan Application -- Penn Square

Bill Dogherty, Branch Manager on 1st floor; would not provide me with an application.
Process was to provide financial statements; kept requested documentation as to application
and process, refused.
Advised the law of discrimination to all Fulton Bank emplyees.
11:00 AM - 11:30 AM

Ric Plum Harleysville Phone Call

Said did not mail it, would go out today, again lied.

May 11, 2006


Thursday
9:00 PM - 10:00 PM

Episode: Sheryl Crow, Wildflower Tour From New York

Show: Soundstage
Episode: Sheryl Crow, Wildflower Tour From New York
Network: (PBS) Public Broadcasting Service
Date: Thursday - May 11, 2006
Time: 10/9c PM
Duration: 1:00
About: Soundstage: Sheryl Crow, Wildflower Tour From New York
SOUNDSTAGE traveled from their home studios in Chicago, IL to New York City to capture a
special evening of intimate music by nine-time Grammy winner Sheryl Crow. Backed by a 16piece string section led by famed conductor David Campbell, the special provides an
extraordinary look at the many facets of Crow's career and talent.
In this exclusive performance, Crow performs songs from her critically acclaimed 2005
release, Wildflower, including the title cut, "Good is Good," and "Always on Your Side." She
also digs deep into her catalog with a few of the good-time rockers and profound ballads that
have made her one of the most popular mainstream rockers of the last decade, including "If It
Makes You Happy," "All I Wanna Do," and "Every Day is a Winding Road."
Since exploding onto the global pop stage in 1993 with the multi-platinum Tuesday Night
Music Club album, the one-time music teacher and studio vocalist has become one of the
most celebrated singer/songwriters in rock n' roll. However, with the release of Wildflower,
Crow took a dramatic new direction with a collection of introspective compositions, heavier on
string arrangements rather than guitar solos. In her second SOUNDSTAGE appearance,
Crow and string arranger Campbell, bring a new approach to viewers, who will see Crow as
they have never seen her before.

May 13, 2006


Saturday
12:00 PM - 12:30 PM

Judge Brody Brief filed -- USPS Harrisburg pike,lancaster,pa

Capt Palmer? Said he was Dick Shellenburgers brother-in-law, wanted to talk to me, kept
backing me up while trying to weigh envelopes, told him to get away, I was busy, walked
outside and waited, told him I was busy, (chlorophorme)

Advanced Media Group

157

9/25/2006 10:03 AM

May 15, 2006


Monday
11:30 AM - 12:00 PM

Availablity Staffing

Went to talk to Tony Spinello, would not meet, met with Amber.

May 16, 2006


Tuesday
5:00 PM - 5:30 PM

Judge Brody Brief Due

May 17, 2006


Wednesday
8:30 AM - 9:00 AM

FBI Harrisburg Office -- 238 Walnut St.,Harrisburg,PA

Obstruction of Justice Complaint


Travel to Washington DC
9:00 AM - 10:00 AM

Help Make LIVESTRONG DAY One to Remember

"It's time for our nation to address our issues. Together, we can
help change things for the better. As a team, we can make a
difference for survivors."
-Lance Armstrong
On Wednesday, May 17, you can help Lance and the LAF be a voice for
change. Thousands of people will take part in LIVESTRONG Day events
across the country to raise awareness of and bring attention to an
issue that impacts all Americans - cancer.
Whether in your local community or in Washington, D.C., you can
participate and help make LIVESTRONG Day one to remember. There are
three ways to participate:
*
Travel to Washington, D.C. on May 15-17, 2006. Two participants
from each state will be selected to attend LIVESTRONG Day events in
Washington, D.C.
*
Organize a LIVESTRONG Day event in your local community. To
organize a LIVESTRONG Day event, you will organize activities,
contact others in your area and be a point-of-contact for a local
event.
*
Participate in LIVESTRONG

1:30 PM - 2:00 PM

Senate Arlen Specters Office -- 711 Hart Building,Washington D.C.

Schedule appt.
2:00 PM - 2:30 PM

Senate Select Committee on Intelligence -- 211 Hart Building, Washington, D.C.

2 photographers take my picture outside Hearings


Gave phone number to call.
FOXNews.com - Intel Panels Hear From NSA Director - Politics | ...
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1 of 4 5/18/2006 2:19 AM
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Advanced Media Group

158

9/25/2006 10:03 AM

May 17, 2006 Continued


Wednesday
FOXNEWS.COM HOME > POLITICS

Intel Panels Hear From NSA Director


Wednesday, May 17, 2006

WASHINGTON House

and Senate Intelligence


Committee panelists
heard Wednesday from
NSA Director Lt. Gen. Keith
B. Alexander on the
National Security
Agency's terrorist
surveillance program.
The sessions gave all
committee members
details that until now had
been told only to certain
members of the
committees and the
chambers' leadership.
The briefings were held the
day before the start of a
confirmation hearing for
President Bush's pick for
the next CIA director, Air
Force Gen. Michael
Hayden. The nominee oversaw the program as NSA chief between
1999 and 2005.
Alexander met with Senate committee members for about 45
minutes on Wednesday afternoon before the meeting broke up so
senators could go vote on immigration reform amendments. He then
briefed them some more before heading over to meet House
committee members. He returned to wrap up the meeting with
senators in the evening.
Sen. Evan Bayh, D-Ind., said after the first break that senators had
been given "quite a bit of information," but still more needed to be
discussed. "You never know what you don't know," he said of the
possible amount of material that could be disclosed.
(Story continues below)
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The most reviled of all wrestlers in the
old WWF, Nikolai Volkoff wants to pay
back his adopted country by serving
Updated: 5-18-06 12:54am ET

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Data Collection Denial

FREE FOX News Video:


Verizon: We Didn't Give Customers'
Call Records to NSA Either
Bush: 'We Do Not Listen to Domestic
Phone Calls Without Court Approval'
Commissioner: FCC Should
Investigate Phone Companies Aiding
NSA
BellSouth: We Didn't Give NSA
Customers' Call Records
Energy Regulation: Cost-Saver or
Wallet-Buster?
Intel Panels Hear From NSA Director
Scathing Satire
Schwarzenegger Has Questions About Bush
Border Plan

Advanced Media Group

159

9/25/2006 10:03 AM

May 17, 2006 Continued


Wednesday
GOP Congressman Says Bush Abandoned
Immigration Bill
Senate Votes For Border Fence
House Ethics Committee Moves to Stop Travel
Violations
House Approves Bill to Speed Logging in

VIDEO

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http://www.foxnews.com/story/0,2933,195868,00.html
2 of 4 5/18/2006 2:19 AM
Sen. Ron Wyden, D-Ore., said his Wednesday session gave "new
meaning to the concept known as a cram course," and he remained
worried that "the country still is not seeing the necessary balance
between fighting terrorism and protecting people's privacy."
White House spokesman Tony Snow said President Bush agreed to
the briefing to oblige Sen. Pat Roberts, R-Kan., the Intelligence
Committee chairman, who "thought it was an uncomfortable
situation in which you would have had seven members fully briefed
on the program as they're getting ready to do confirmation hearings
and eight members not briefed.
"There was a strong sense that everybody needed to be read into
the program to do what they needed, in his opinion, to do to have a
full and appropriate confirmation hearing for General Hayden. And
we agreed with him," Snow said.
The sessions were focusing on programs detailed in recent news
reports that some U.S. phone companies provided customer call
records to the NSA, which set up a database to look for patterns that
could signal terrorist activity. Last year, leaks also revealed that the
NSA was conducting a terrorist surveilllance program in which it
was listening without warrants to phone calls between individuals in
the United States and abroad who were suspected of having links to
terror groups.
Reports said three of the nation's largest telecommunications firms,
BellSouth, Verizon and AT&T, all cooperated with the government in
handing over phone records for more than 200 million customers
combined.
But two companies BellSouth and Verizon have denied their
involvement in the program. All three companies are being sued for
$200 billion by consumers who say they have had their privacy
invaded. AT&T is also facing a lawsuit alleging that it illegally
cooperated with the NSA by making communications on AT&T
networks available to the spy agency without warrants.
Roberts wouldn't discuss specifics revealed in the news reports but
told FOX News the fact that the stories were published to begin with
is incredible to him, given that the information is highly classified. He
said the amount of leaks presents a real challenge to the U.S.
government's ability to protect the homeland.
"If you inform the American public and then it is broadcast and you
have misinformation about it and those of us who know the
difference can't say anything about it, it's a very troublesome thing.
I'll tell you one thing, (Usama) bin Laden, (Abu Musab al-) Zarqawi
and (Ayman al-) Zawahiri must be rejoicing," Roberts said of the
terror leaders.
Rep. Mike Rogers, R-Mich., a former FBI agent and intelligence
committee member, also would not elaborate on the briefings he
received but said of the phone records reports: "I can assure you
there are no customer records involved. None.
in elected office

Dubya's Double
Bush and Bush get a lot of laughs at
the White House Correspondents'
dinner

Good News, Gloomy Reviews


Economists wonder why Americans
aren't appreciating an economy that is

Advanced Media Group

160

9/25/2006 10:03 AM

May 17, 2006 Continued


Wednesday
strong and not nearly ready to flame
out

Refugee Claims
Aid groups say that hundreds of
thousands of people have left their
homes since the Iraq War began
three years ago, leading some to
question the U.S. mission

Southern Border Angst


Arizona's 8th District, where Rep. Jim
Kolbe is retiring and leaving an open
seat, is a sieve for illegals

New Playbook in Pa. Race


In Pennsylvania this November,
Democratic leaders see an
opportunity not only to topple Rick
Santorum, but also to begin writing
their playbook for the 2008
presidential election

Welcome to Fortress City


A $600 million U.S. embassy project
in Baghdad is on time, on budget and
drawing fire from critics, with some
saying it signifies a permanent U.S.
presence in Iraq

ONLY ON FOX
Lower Blood Pressure
The Mayo Clinic and NBC agree its a safe way to Lower Blood Pressure!
www.resperate.com

FOXNews.com - Intel Panels Hear From NSA Director - Politics | ...


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3 of 4 5/18/2006 2:19 AM
"I think it was inaccurately reported and completely overblown about
what is and what isn't available to the NSA," he said.
A former official familiar with NSA procedures, who spoke on
condition of anonymity, said that since the 1970s the agency has
made sure that when its systems collect information that is not
relevant to foreign intelligence investigations no person can access
it or use it in an inappropriate way.
The official said any information used by the agency would have
been traced back to terror suspects or their associates, not
information about Americans making doctor appointments or
ordering pizzas.
Hayden is expected to be questioned by the Senate Intelligence
Committee about the program from senators during his confirmation
hearing. However, with lawmakers being given classified details of
the programs ahead of that, they will be limited in what they can say
publicly. After the briefings, lawmakers are expected to speak to
reporters about their satisfaction with the details they were given.
Not all members of the intelligence committees had been briefed on
the programs details and other workings of the agency because of
concerns by the White House that information would be leaked from
a larger group. But Democrats said not informing the full
committees violates the 1947 National Security Act.
"The White House, for the first time, is showing signs that they are
serious about oversight of this program," said West Virginia Sen.
Jay Rockefeller, the intelligence committee's top Democrat.
Rep. Jane Harman, D-Calif., Rockefeller's House counterpart, said:
"It's a shame that it took an endangered nomination to make this
happen."
Meetings Declassified
Along with the decision to brief intelligence panel members, Director
of National Intelligence John Negroponte on Wednesday declassified
records of past briefings on NSA activities by administration officials
to members of Congress.
The declassification was requested by House Minority Leader
Nancy Pelosi. Attendance records for the 30 briefings show 95 total
visits among the 31 lawmakers who participated.
Pelosi, D-Calif., was briefed six times four times between
Advanced Media Group

161

9/25/2006 10:03 AM

May 17, 2006 Continued


Wednesday
October 2001 and June 2002, and twice in 2004.
One source told FOX News that Pelosi's briefings coincide with the
time during which the NSA was putting together its terrorist
surveillance program. The briefings she attended were on that
program alone and not other NSA programs.
Several officials, however, have said the relevant members of the
intelligence committees and the leadership have been briefed on
"the totality of what the NSA was doing."
"Committee members understand any and everything the NSA is
doing," said one official, adding that the dates show members were
being briefed during the "critical start up months of the program."
FOX News' Jim Angle and Wendell Goler and The Associated Press
contributed to this report.

FOXNews.com - Intel Panels Hear From NSA Director - Politics | ...


http://www.foxnews.com/story/0,2933,195868,00.html
4 of 4 5/18/2006 2:19 AM
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This material may not be published, broadcast, rewritten, or redistributed.
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All market data delayed 20 minutes.

May 18, 2006


Thursday
2:00 PM - 2:30 PM

Roda & Nast -- Estelle Drive,Lancaster,PA

Visit and request meeting with receptionist or another attorney


2:30 PM - 3:00 PM

Availabity Staffing -- Columbia Avenue

Follow up with Amber, said she had someone else in office that could help find some parttime
consulting. Talked with . Did not even read resume, told him if he had a client that wanted
to increase profits to call me. Said only dealt with manufacturing, told him had experience,
American Helix

May 19, 2006


Friday
7:00 PM - 7:30 PM

Joe Pinto Meeting at Lancaster Clipper Stadium -- Lancaster, PA

Joe Pinto Lied


7:00 PM - 7:30 PM

Sheryl - Rainforest Benefit Concert with Sting - Canceled -- New York City

http://www.billboard.com/bbcom/news/article_display.jsp?
vnu_content_id=1002274275
March 29, 2006, 4:05 PM ET
Jonathan Cohen, N.Y.
Sting will be joined by recent duet partner Sheryl Crow and James
Taylor for the 2006 Rainforest Benefit. The event will be held May 19
at New York's Carnegie Hall and will feature additional performers to
be announced. Regular tickets will be available next month from the
Advanced Media Group

162

9/25/2006 10:03 AM

May 19, 2006 Continued


Friday
Carnegie Hall box office; special packages which include a post-show
dinner can be purchased by calling 212-247-7800.
Sting and Crow's new duet, "Always on Your Side," is No. 14 this week
on Billboard's Adult Top 40 chart and No. 19 on the Adult
Contemporary tally.
Meanwhile, Sting has drafted rock act Fiction Plane (fronted by his
son Joe Sumner) as the support act for all but five dates on his
summer European tour. As previously reported, the trek will begin
July 4 at the Rock in Rio festival in Lisbon and run through July 28
in Moscow.
Beforehand, Sting will drop by t

10:00 PM - 10:30 PM

Dave Pflumm and Brett Stabley

Thought they stole my wife

May 21, 2006


Sunday
2:30 PM - 3:00 PM

Harleysville Claim Priority Mail -- USPS Harrisburg Pike,Lancaster,PA

May 22, 2006


Monday
8:00 AM - 8:30 AM

Payments for Advanced Media Group

Vonage Phone 17.48


Rhapsody 9.99
Go to My PC 24.95
Ebay 15.95
Andale 16.95
Efax 10.00
Nextel 155.00

9:00 AM - 9:30 AM

Advance Media v. Mike, Stabley, Pflumm -- Lancaster County Court of Common Pleas

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION
Advanced Media Group
Stanley J. Caterbone
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania
V

:
:
:
:

Mr. David J. Pflumm


113 Slackwater Road
Millersville, PA 17551
Mr. Brett W. Stabley
143 West Main Street
Advanced Media Group

163

9/25/2006 10:03 AM

May 22, 2006 Continued


Monday
Strasburg, PA

15816

Alley Kat Restaurant


70 West Lemon Street
Lancaster, PA 17602
Mike Caterbone
122 Swan Avenue
Plantation, FL 33324

:
:

CIVIL ACTION NO.

STATE OF PENNSYLVANIA

:
:
COUNTY OF LANCASTER
: ss
___________________________________________________________________________
__________________________
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION
COMPLAINT
1. On several occasions DEFENDANTS did willfully engage in unlawful slander, libel,
and defamation of character of PLAINTIFFS at the establishment of the Alley Kat
Restaurant and Bar, and to other persons at various locations and through various
electronic communication devices, not limited to cellular and land line telephones.
2. DEFENDANTS continue to obstruct justice and interfere with PLAINTIFFS right to
due process concerning Civil Action 05-2288 in the United States District Court for
the Eastern District of Pennsylvania and Plaintiffs petition for Bankruptcy filed in the
United States Bankruptcy Court of Pennsylvania Case No. 05-23059 and
PLAINTIFFS Civil Action No. 06-1538 in United States District Court for the Eastern
District of Pennsylvania.
_____________________________
Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184
___________________________________________________________________________
_________________
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

CERTIFICATE OF SERVICE

Stanley J. Caterbone represented by Stanley J. Caterbone


220 Stone Hill Road PRO SE
Conestoga, PA 19516
Advanced Media Group

164

9/25/2006 10:03 AM

May 22, 2006 Continued


Monday

Service To:
Mr. David J. Pflumm
113 Slackwater Road
Millersville, PA 17551
Mr. Brett W. Stabley
143 West Main Street
Strasburg, PA 15816
Alley Kat Restaurant
70 West Lemon Street
Lancaster, PA 17602

Certificates of Service were sent by United States 1st Class Mail on May 22, 2006.

By, ________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone, Debtor
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184

12:00 PM - 12:30 PM

PA Insurance Complaint

Agent is not processing above claim and keeps lying to me. After I
submitted claim forms and did not hear from him, I called him and he
said that a sworn and notorized affadavit required embossed seal from
notary, proved that was not the case. Then he said that he could not
accept a copy of the affadavit and said he needed to resend the claim
form. He did not send the form when he said. Then he said he Chief
Fiorill of the Southern Regional Police Department gave him past
dates of reported thefts, yet he will not forward a copy of any
incident reports from the Southern Regional Police Department. Rick
Plum forwarded claim forms for past reported thefts with this claim
and keeps trying to tell me to file claims for all past dates dating
back to 2002. Today I said that I sent in the required claim forms
for the dates of March 26 and April 12 of 2006 (Priority Mail - US
Post Office Harisburg Pike,Lancaster,PA May 21, self service kiosk),
and he keeps telling me to file claims for pa

12:00 PM - 12:30 PM

PA Insurance Complaint

Agent is not processing above claim and keeps lying to me. After I submitted claim forms and
did not hear from him, I called him and he said that a sworn and notorized affadavit required
embossed seal from notary, proved that was not the case. Then he said that he could not accept
a copy of the affadavit and said he needed to resend the claim form. He did not send the form
when he said. Then he said he Chief Fiorill of the Southern Regional Police Department gave
him past dates of reported thefts, yet he will not forward a copy of any incident reports from the
Southern Regional Police Department. Rick Plum forwarded claim forms for past reported
Advanced Media Group

165

9/25/2006 10:03 AM

May 22, 2006 Continued


Monday
thefts with this claim and keeps trying to tell me to file claims for all past dates dating back to
2002. Today I said that I sent in the required claim forms for the dates of March 26 and April
12 of 2006 (Priority Mail - US Post Office Harisburg Pike,Lancaster,PA May 21, self service
kiosk), and he keeps telling me to file claims for past dates, yet he said he did not recive any
police reports from Southern Regional.
Today I discovered that someone had stolen the file containing all of the forms and copies of the
claims for the dates for the above. I just called 911 to report theft to Southern Regional Police
Department, and no one responded.

May 23, 2006


Tuesday
1:30 PM - 2:00 PM

Email Convention Center Recommendations from March 2005

MSN Hotmail - http://by104fd.bay104.hotmail.msn.com/cgi-bin/getmsg?curmbox=...


1 of 2 5/24/2006 4:32 AM
amgroup01@msn.com Printed: Wednesday, May 24, 2006 4:32 AM
From : Advanced Media Group <amgroup01@msn.com>
Sent : Tuesday, May 23, 2006 1:21 PM
To :
"Bargain Land " <shipping@bargainland.net>, "Daniel Berger " <danielberger@comcast.net>, "Deddy "
<deddy@cityoflancasterpa.com>, "endofauction" <endofauction@ebay.com>, "GGordon"
<GGordon@fult.com>,
"High Group" <nfo@high.net>, "Lancaster County Commissioners " <McCueA@co.lancaster.pa.us>,
"Lancaster Intell"
<IntellLetters@lnpnews.com>, "Lancaster New Era" <neweraLetters@lnpnews.com>, "Mike Caterbone
"
<mtciidd@aol.com>, "Owen Kugel " <owenrkugel@juno.com>, "Patrice Dixon "
<HSDuncan@juno.com>, "Patrick
Snyder " <psnyder@uncb.com>, "Pete Horn " <Rhino1818@aol.com>, "Phil "
<caterbone@sbcglobal.net>, "Phyllis
Crews " <Phyllis.Crews@richardson.k12.tx.us>, "Ray Sawiski " <rsawicki@decommunications.com>,
"Stan Caterbone
" <amgauctions@comcast.net>, "Sunday Newspapers" <sunnews@lnpnews.com>
Subject : Downtown Convention Center March 2005 Recommendations
www.amglobalentertainmentgroup.com
March 16, 2005 Downtown Convention Center Recommendations
Following the Veto by the School District of Tiff Financing
Recommendations
Move the Convention Center & Hotel to the Brunswick Hotel
A Smaller Convention Center WILL Provide As Much Economic Stimulus to the Revitalization of
Downtown Lancaster as a LARGER Convention Center
Convention Center Could Be Completed In 18 to 24 Months and Should Be Built with Dual Use
Design Plans Arena & Events
Smaller Exhibit Area Coincides With Current Industry Trends
Technology Will NEVER Replace the Need for Human Interaction in the Business and Academic
Arenas Conventions May Become Smaller But Not Obsolete
Far Less Economic, Financial, and Development Risk
Smaller Hotel Would Provide More Overflow To Other County Hotels
Utilize a Mixed-Use Development for the Watt & Shand Building
Feature a Hard Rock Cafe, Entertainment Venues, Shops,
Offices, restaurants, and Condominiums
2 Revitalized Major Downtown Structures for 1/2 the Cost of the Current Convention Center Budget
of $129 million Which Will Probably Grow to Over $150 million
Preliminary Estimate of $60 to $80 Million Dollars For Both Projects
Ability to Fast Track Both Projects Within Shorter Timeline
All Parties And Principals Could Remain the Same or Attract New Investors
Increased Tax Revenues for the School District of Lancaster
Completes The Comprehensive Plan For Major Structures
Returns The Project To The Original Plan Outlined In The 1998 Lancaster Economic Development
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Tuesday
Plan For The Revitalization Of Downtown Lancaster
Why This Project Will Be Successful
4 Star or Best Upgrade Available for Hotel Will Make It The Anchor for the Project
No Other Facility In Lancaster County Near This Type of Accommodation
Prices Will Be Reasonable and Acceptable To Corporate Fiscal Policies
The Convention Center Will Only Have To Be A Marginal Success for the Project to Operate profitably
and to succeed in being the catalyst for Downtown Revitalization
Franklin & Marshall (F&M) Will Utilize the Hotel Instead Of Building Their Own Hotel
F&M has the Potential To Fill Approximately 20% Vacancy Per Year or More
There are Major Fortune 500 Companies With Local Overnight Business Activities
There are Several Major Defense & Government Contractors With Local Overnight Business Activities
There are Several Major Institutions of Higher Education With Local Overnight Business Activities
Success of the Lancaster Barnstormers & Clipper Magazine Stadium will Provide Stimulus and is a
Prime Example of How a Major Structure can Effect and Provide the Impetus to Revitalize the
Surrounding Areas
Respectfully,
Advanced Media Group
Stan Caterbone
www.amgglobalentertainmentgroup.com
amgroup01@msn.com
Fax: ( 717)-427-1621
Phone (717)-431-8184
Our Capabilities in Research, Analysis, and Forecasting Have Been Used by U.S. Government
Agencies. These
conclusions were the result of meetings, discussions, and communications with the following
stakeholders: Mayor Charlie
Smithgall, Dale High, Nevin Cooley, Molly Henderson, SDL, Fulton Bank, Marlin Thomas (Willow
Valley), Lancaster City
Council, County Commissioners, Lancaster Newspapers, Tom Baldridge, Rick Grey, 5th Estate,
Talkback Discussion
Board, Howard Sanders, Lancaster Newspapers, April Kopenhaver of LancasrterFirst.org and many
Lancaster city and
county taxpayers.

2:00 PM - 3:00 PM

Appeal Reading Parking Tickets -- Court of Common Pleas, Court St.,Reading, PA

Filed appeal and Forma Papaus to Appeal Reading Traffic Tickets


5:00 PM - 5:30 PM

Convention Over Budget Lancaster New Era -- Lancaster County, PA

Lancaster New Era: Center bids $25M over budget


http://eedition.lancasteronline.com/pages/news/edition/NEPM/200...
1 of 3 5/23/2006 8:19 PM
Center bids $25M over budget
Hotel/convention center construction costs could be 30% higher than expected. Developers call
increase "significant," but say they're still positive. Opponents say it's time to "refocus on new project."
By TOM MURSE, New Era Staff Writer
The lowest bids for construction of a planned hotel and convention center in Penn Square are more
than $25 million over
budget, double what had been estimated last week. The cost of buying materials such as steel, tile and
wood paneling, and of
hiring the plumbers, electricians and carpenters could be at least $108 million, the master developer
said. That's $25.4 million
more, or nearly 31percent higher, than the $82.6 million budget for such work on the downtown
Lancaster project, according to
figures provided by High Real Estate Group.
The stunning amount of the bids, opened earlier this month, represents perhaps the biggest obstacle to
date for the developers, who have portrayed the project as a catalyst for the city's rebirth. "I think it is
significant," said Tom Smithgall, vice president of
High Real Estate. "But we've had other challenges on this project. We had three and a half years of
legal challenges, pricing challenges, delays, county commissioners who don't want the project -- I'd call
that significant, too." "We're still positive. We're going to get this thing back in shape so we can
proceed as planned," Smithgall said. "I don't think I've ever been involved with a project where
construction bids match up perfectly with your budget. You just have to make adjustments and go from
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Tuesday
there."
Those who have raised serious questions about the project, however, see the work bids as further proof
that the price tag -and associated risk to taxpayers -- far outweighs the benefit to Lancaster New Era: Center bids $25M
over budget "I have been watching this project continue to spiral to an exorbitant level," said county
Commissioner Molly Henderson. "I do not see how, at that level, there can be alterations made that
would keep the quality which was promised. "People came into this project with very good intentions for
community service," Henderson said. "But I think the time to redirect is here. I would ask the individuals
involved, privately, and other public officials to join together to refocus on a new project."
Lancaster Mayor Rick Gray would not say whether he believes it is now time to abandon the project
given the apparent high cost
of construction. He said he was disappointed, but not surprised, by the bid amounts. "Just from what
everyone's been saying about the cost of construction and what-not, I assumed they would be over
budget," Gray said. Even if contracts were awarded to the low bidders, the project price tag would jump
to nearly $164.6 million from its current $140 million when costs such as site acquisition and financing
are factored in. Even without the new bids factored in, though, the project has nearly doubled in price
since it
was first proposed, in 1999, at a cost of $75 million. "We're not jumping to any conclusions right now,
but taking a look at it, in the
administration, internally, to determine the effect of the bids on the convention center," Gray said.
"We're willing to wait and let Penn Square Partners see what they can come up with in a few weeks."
Penn Square Partners is the private developer seeking to build a 300-room Marriott Hotel at the site of
the former Watt & Shand building. The Lancaster County Convention Center Authority plans to build a
220,000-square-foot convention center joined to the hotel. This morning, Smithgall said he could not
reveal how, specifically, the developers would seek to reduce construction costs; they were only
beginning to strategize this morning. "I know what people want to do. They want to say, 'What are you
going to change? Are you going to change brick to Dryvit? Are you going to change to electric
baseboard heat?'" Smithgall said. "We're getting ready to start this whole thing this morning." Smithgall
did, however, anticipate questions about whether the quality of the facilities would suffer; his answer is,
they would not. "There are other ways to do things and not lose the quality," he said. "Our critics want
to say they're going to change the quality. Our goal is to deliver what we promised and do it within our
budget."
The bulk of the construction bids were opened at a public meeting held one week ago, but a few others
were unsealed on May 9. Initial reports from last week's meeting stated that bids came in only $13.6
million, or 15 percent, over budget. But those figures did not include contracts already awarded. And
bids on one more contract, for stabilization of the Watt & Shand facade, have yet to be opened; that
will happen on May 31. The bid that came in the most over budget last week was that for the $10.5
million "general trades" contract; Wohlsen Construction of Lancaster was the only bidder, at nearly
$22.3 million -- more than twice the budgeted amount.
The "general trades" contractor would perform carpentry and provide finished materials such as tile and
stone floors and wood paneling, Smithgall said. Asked why the bid came in so high, he said, "There's
only a single bidder, and that could have a lot to do with it. We did not get what we had hoped for,
which was competitive pricing in that bid package." The developers could decide to modify the
elements of the bid package or seek more bids. In fact, they may decide to seek new bids not just on
the general trades contract, but on several others in which the price far exceeds their budget. There
may be other bids, however, they can do little about. The bids for steel, drywall, glass and concrete
contracts came in far higher, largely because of price fluctuations in the
market."Raw materials have been very volatile," Smithgall said. While the developers analyze the bids,
work continues on demolition of three warehouses behind the Watt & Shand building; stabilization of
the building's facade is expected to begin
shortly after bids are opened for that work on May 31. The developers have continued the demolition
work despite the apparent bid setback, Smithgall said, because it needs to be done regardless of
whether the hotel and convention
center project moves forward. "The preparation of the site has value to a project, even if it's not this
particular project," he
said. "It allows other things to occur if this project does not proceed." In addition, he said, completion of
that work will allow the Historic Preservation Trust of Lancaster County to move forward with its plans
for a Thaddeus Stevens Museum. Penn Square Partners consists of general partner Penn Square
General Corp., a High Associates affiliate, and limited partners Fulton Bank and Lancaster Newspapers
Inc., publisher of the Lancaster New Era, Intelligencer Journal and Sunday News. Detailed look at bids:
A6
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2004-2006 Lancaster Newspapers PO Box 1328, Lancaster PA 17608, (717) 291-8811
Terms of Service Privacy Policy

May 25, 2006


Thursday
8:30 AM - 9:00 AM

Rescheduled Hearing Caterbone v. Comcast -- DJ Ballentine 123 Locust Street,Lancaster,PA 17602


717-299-7974

CV-0000160-06
Comcast must send notice to defend, otherwise do not attend.
Tried to make me miss this hearing, original taken, I thought it was for June 26, went today to
get copy and said Comcast entered an appearance for defense. Will reschedule hearing.
9:00 AM - 9:30 AM

DJ Thomas Xavios Appeal due for Reading Parking Ticket

May 26, 2006


Friday
8:30 AM - 9:00 AM

Hearing Caterbone v. Comcast -- DJ Ballentine 123 Locust Street,Lancaster,PA 17602 717-299-7974

CV-0000160-06
Comcast must send notice to defend, otherwise do not attend.
1:00 PM - 1:30 PM

Barley Snyder, LLC - Lancaster General Hospital File Stolen -- East King Street, Lancaster,PA

Gave formal notice to Attorneys Meagen Ford and Mattson regarding LGH file stolen, said
allegations that their client may have been involved, Caroline (african american woman) at
reception desk. Called to executive secretary of both attorneys, were not available, told them
to leave them notice of theft of file.
4:30 PM - 5:00 PM

Judge Mary J. McLaughlin Letter faxed

Advanced Media Group


220 Stone Hill Road
Conestoga, PA 17516

May 26, 2006

United States District Court for the Eastern District of Pennsylvania


Honorable Judge Mary A. McLaughlin
Room # 13614
601 Market Street, Room 2609
Philadelphia, PA 19106-1748
Fax: (215) 597-6390 600
Re:
Civil Action No. 05-2288
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Friday
Honorable Judge Mary A. McLaughlin:
Attached is evidence of a widespread effort to obstruct justice and deny me fair access and due
process concerning my current pending litigation before your court and other matters before other
courts. I filed a Forma Pauperis in The Court of Common Pleas of Lancaster County relating to
obstruction of justice. The Judge denied my request, without a reason, contrary to rule 240, and the
courts have left me without any access to the courts because I do not have any funds available to file
an appeal.
I am having difficulty conducting my affairs and am seeking the courts to protect my constitutional
rights relating to these matters.
I am unsure of the formal and technical manner to file such a motion and request. Please advise.
Respectfully,

Stan J. Caterbone, Pro Se


Advanced Media Group
Cc:

Honorable Judge Thomas M. Twardowski,


United States Bankruptcy Court, Eastern District of Pennsylvania
400 Washington Street
Reading, PA 19601
Re:
Case No. 05-23059
The Honorable Anita Brody
US District Court For the Eastern District of Pennsylvania
600 Market Street
Room 7613
Philadelphia, PA 19106
Fax 1-215-580-2356
Re:
Case No. CA 06-1538
www.amgglobalentertainmentgroup.com
infor@amgglobalentertainmentgroup.com
717.731.8184 Phone
717.427-1621 Fax

6:00 PM - 6:30 PM

Judicial Conduct Review Board Complaint Filed -- USPS, Harrisburg Pike, Lancaster, PA 17603

Please explain your complaint on the reverse of this from.

COMMONWEALTH OF
PENNSYLVANIA
JUDICIAL CONDUCT BOARD
Pennsylvania Place
301 Chestnut Street, Suite 403
Harrisburg, PA 17101
(717)-234-7911
OFFICIAL USE ONLY
Recd:
JCB No:
County:
CONFIDENTIAL REQUEST FOR INVESTIGATION
INSTRUCTIONS: Please type or print. If you wish to provide documents to support your
allegations, please attach copies of those
documents. We cannot return documents. The Boards jurisdiction extends only to
Pennsylvania Supreme Court Justices, Superior
and Commonwealth Court Judges, Common Pleas Court Judges, Philadelphia Municipal and
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Friday
Traffic Court Judges and Magisterial
District Judges. Once completed, you must sign and return this form to the address above.
NOTICE: The Judicial Conduct Board has no authority to change a Judges decisions or
rulings. Our jurisdiction extends only to
conduct that violates the Code of Judicial Conduct or the Rules Governing Standards of
Conduct of District Justices, which may be
found at our website at www.jcbpa.org.
Your Information:
Name: Stanley J. Caterbone
Address: 220 Stone Hill Road
City: Conestoga State: PA Zip: 17516
Telephone:
( 717 ) 431-8184
()
Judicial Officers Information:
Name: William G. Reuter/Commins
County: Lancaster
Type of Judicial Officer:
Magisterial District Judge
Judge
Case Information: (If misconduct allegations relate to Court Proceedings.) Case Has Been
Appealed
Case Name: Preliminary Hearing Case Docket Number: NT-0000558-05
Your Attorney: Opposing Attorney: Witness:
Name: Pro Se Name: Name:
Address:
Address:
Address:
Phone: Phone: Phone:
I certify that I have read the information concerning the Judicial Conduct Boards
function, jurisdiction, and
procedures included in the accompanying brochure. I further swear (or affirm) that the
above information is
true and accurate. The statements in this complaint are made subject to the penalties
of 18 Pa. C.S. 4904
(relating to unsworn falsification to authorities.)
Date Your Signature
___________________________________________________________________________
___________________________
Revised: 08/10/2004
Please use this page to explain your complaint, providing as much detail as possible.
Attach additional pages if needed.
Please note, it is not required that you present your grievance to the Board in person.
Personal interviews are not required and are
not usually necessary for our preliminary review, investigation, and understanding of
grievances. If we need further information
relative to your grievances, you will be contacted by phone or letter and arrangements will be
made for an interview if deemed
necessary.
At the Preliminary Hearing on December 5, 2005 Judge Reuter confered with Officer Ronal
Bezzerd due to the fact that the East
Lampeter Township Police Department failed to provide me with the proper citations before
the start of the Preliminary Hearing.
Judge Reuter had called the Lancaster County District Attorney during the Hearing and
Officer Bezzerd consulted with a District
Attorney about refiling the charges.
I distintcly interupted the Hearing and asked the Judge that I did not think it was fair if the
East Lampeter Township Police
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Friday
Department could keep these charges pending, without being refiled. Judge Reuter assured
me that this would not be the case and
demanded that Offficer Bezzerd notify me within 24 hours of his decision to refile the charges
or not, which he agreed.
The following is an email that I from Officer Bezzerd at 7:16 pm
amgroup01@msn.com Printed: Wednesday, May 24, 2006 4:09 PM
From : Bezzard, Ron <BezzardR@police.co.lancaster.pa.us>
Sent : Monday, December 5, 2005 7:16 PM
To : <amgroup01@msn.com>
Subject : refiling charges
Mr. Caterbone The DAs officer advised me they would approve refilling the charges. This
should be done within a week, call volume
permitting. Also I dont know haw long it will take to get the court order to file the charges
through the Mt Joy office. At any rate the
charges will be filed as soon as possible.
On May 18, 2006 The East Lampeter Township Police Department refiled the charges and
changed the Affadavit of Probable cause.
On the carges of Count 3 Teft of Services, enclosed you will find a bank debit card
transaction of the bar bill that was paid on the
evening of October 6, 2005 immediately after I was released from the East Lampeter
Township Police Department.

May 27, 2006


Saturday
All Day

sc anniversary

May 29, 2006


Monday
6:00 AM - 6:30 AM

Judicial Conduct Review Board Complaint filed

Please explain your complaint on the reverse of this from.


COMMONWEALTH OF
PENNSYLVANIA
JUDICIAL CONDUCT BOARD
Pennsylvania Place
301 Chestnut Street, Suite 403
Harrisburg, PA 17101
(717)-234-7911
OFFICIAL USE ONLY
Recd:
JCB No:
County:
CONFIDENTIAL REQUEST FOR INVESTIGATION
INSTRUCTIONS: Please type or print. If you wish to provide documents to support your
allegations, please attach copies of those
documents. We cannot return documents. The Boards jurisdiction extends only to
Pennsylvania Supreme Court Justices, Superior
and Commonwealth Court Judges, Common Pleas Court Judges, Philadelphia Municipal and
Traffic Court Judges and Magisterial
District Judges. Once completed, you must sign and return this form to the address above.
NOTICE: The Judicial Conduct Board has no authority to change a Judges decisions or
rulings. Our jurisdiction extends only to
conduct that violates the Code of Judicial Conduct or the Rules Governing Standards of
Conduct of District Justices, which may be
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May 29, 2006 Continued


Monday
found at our website at www.jcbpa.org.
Your Information:
Name: Stanley J. Caterbone
Address: 220 Stone Hill Road
City: Conestoga State: PA Zip: 17516
Telephone:
( 717 ) 431-8184
()
Judicial Officers Information:
Name: Leo H. Eckert,Jr;Stuart J. Mylin;
Maynard A. Harmilton
County: Lancaster
Type of Judicial Officer:
Magisterial District Judge
Judge
Case Information: (If misconduct allegations relate to Court Proceedings.) Case Has Been
Appealed
Case Name: Notice of Continuance;Police Criminal
Complaint;Summons For A Summary Case
Case Docket Number: CR-0000085-06;TR-000101106;TR-0001010-06;TR-0000244-06;TR-000245-06;NT0000220-06
Your Attorney: Opposing Attorney: Witness:
Name: Pro Se Name: Name:
Address:
Address:
Address:
Phone: Phone: Phone:
___________________________________________________________________________
_____________________
Revised: 08/10/2004
I certify that I have read the information concerning the Judicial Conduct Boards
function, jurisdiction, and
procedures included in the accompanying brochure. I further swear (or affirm) that the
above information is
true and accurate. The statements in this complaint are made subject to the penalties
of 18 Pa. C.S. 4904
(relating to unsworn falsification to authorities.)
Date Your Signature
Please use this page to explain your complaint, providing as much detail as possible.
Attach additional pages if needed.
Please note, it is not required that you present your grievance to the Board in person.
Personal interviews are not required and are
not usually necessary for our preliminary review, investigation, and understanding of
grievances. If we need further information
relative to your grievances, you will be contacted by phone or letter and arrangements will be
made for an interview if deemed
necessary.
___________________________________________________________________________
__________________
Revised: 08/10/2004
The attached Summary filings will demonstrate a concerted effort among varous Majisterial
District Justices
to obstruct justice and to collectively as an agent to thwart my efforts and deny me my
constitutional right of
due process relating to my current litigation in Federal and State courts. The following is a
copy of a letter to
the Honorable Judge Mary A. McLaughlin, judge of Civil Action No. 05-2288; which is
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Monday
presently a sealed
filing that I am Plaintiff in The United States District Court for the Eastern District of
Pennsylvania.
"Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
May 26, 2006
United States District Court for the Eastern District of Pennsylvania
Honorable Judge Mary A. McLaughlin
Room # 13614
601 Market Street, Room 2609
Philadelphia, PA 19106-1748
Fax: (215) 597-6390 600
Re: Civil Action No. 05-2288
Honorable Judge Mary A. McLaughlin:
Attached is evidence of a widespread effort to obstruct justice and deny me fair access and
due process
concerning my current pending litigation before your court and other matters before other
courts. I filed a
Forma Pauperis in The Court of Common Pleas of Lancaster County relating to obstruction of
justice. The
Judge denied my request, without a reason, contrary to rule 240, and the courts have left me
without any
access to the courts because I do not have any funds available to file an appeal.
I am having difficulty conducting my affairs and am seeking the courts to protect my
constitutional rights
relating to these matters.
I am unsure of the formal and technical manner to file such a motion and request. Please
advise.
Respectfully,
Stan J. Caterbone, Pro Se
Advanced Media Group
Cc: Honorable Judge Thomas M. Twardowski,
United States Bankruptcy Court, Eastern District of Pennsylvania
400 Washington Street
Reading, PA 19601
Re: Case No. 05-23059
The Honorable Anita Brody
US District Court For the Eastern District of Pennsylvania
600 Market Street
Room 7613
Philadelphia, PA 19106
Fax 1-215-580-2356
Re: Case No. CA 06-1538
___________________________________________________________________________
_____________________
Revised: 08/10/2004
The Police Criminal Complaints filed my Officers John A. Fiorill and Sergeant Robert C.
Busser are all
farbrications, and demonstrate one of the greggariouos violations of judicial misconduct one
can imagine.
Enclosed you will find a recorded memo from Arpril 5, 2006 that I recorded during the
altercation and false
imprisonment concerning a fruadulent 302 Order signed by Officer Fedor, all of the Southern
Regional Police
Department.
I have filed Civil Complaints in the Court of Common Pleas, Lancaster County, concerning
the above
infrations; Civil Complaints CI-06-03349 (Caterbone v. Lancaster General Hospital, et el.) and
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Monday
Civil
Complaint CI-06-03401.
These demonstrations of judicial misconduct are intended to defame my character, my
reputation, and my
trustworthiness while also distracting me and intimidating me into incarcaration that would
prohibit me from
coninuing my current litigation.

5:00 PM - 5:30 PM

Grassel Answer to Civil Complaint Due

5:00 PM - 5:30 PM

Lancaster General Hospital Answer to Complaint Due

May 30, 2006


Tuesday
5:00 PM - 5:30 PM

Southern Regional Police Dept Answer Due

7:00 PM - 7:30 PM

Kenny Chesney -- Opening for Chesney will be Sugarland and Jake Owen -- Hershey Stadium

May 31, 2006


Wednesday
12:00 AM - 12:30 AM

Artie email for Convention Center March 2005

Artie, thanks for the intelligent reply and discussion. You should understand, there is
not too much that you have said that I disagree with. You are right on point in your
analysis. However, too understand my perception, you must understand my experience
in analyzing trends and forecasts. In addition, I based my conclusions on the totality of
the
situation. Specifically, how long it would take for another project to be brought to
fruition. When I weighed all of the pertinent factors, I was drawn to those conclusions.
Some history regarding the credibility of my past experiences: In 1984/85 I had a
personal discussion with Sandy Wiell, former President of Citi Group, who has recently
resigned, which was the largest banking entity in the U.S. I was
conveying to him about the future of Financial Planning in the Investment industry, and
the future role it would play. He was closing his deal (American Express) to purchase
IDS (Investors Diversified Services). I was a national leader in the company in
delivering Financial Planning Services, which was very new to the investment
community.
In 1985/86 I was elected Vice President of the Central Pennsylvania Chapter of the
International Association of Financial Planners, and helped build that chapter by
increasing membership 3to 4 times. I had personally retained the nationally acclaimed
and nationally syndicated Financial Planner, Ms. Alexander Armstrong of Washington
D.C. to speak to an audience of more than 150 professionals at the Eden Resort &
Conference Center to discuss financial planning and how all of the professions needed
to work together for their clients. We attracted professionals from the various
professions including; investments, accounting; legal; and the banking industries.
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Wednesday
Today, it has
become evident that financial planning was the way of the future.
In the same time period I also had discussions with Blue Ball Bank executives to set up
Financial Planning for their institution. In 1985 I developed the Easter Regional Free
Agent Camp, the first Free Agent Camp for the Professional Football Market which
was videotaped for distribution. Instead of depending on the Pro scouts to come to the
camp, I video taped the camp and sent a copy of the camps (free to the teams) to all the
teams in all three leagues NFL, CFL and WFL. My brother was signed at that camp by
the Ottawa Roughriders of the CFL, and went on to be a leading receiver while J.C.
Watts was one of the leagues most prominent Quarterback. My brother also played 2
years with the Miami Dolphins and Dan Morino. I was a Certified Agent for the
National Football League Players Association, and had personal conversations and
lunch (in Los Angeles, California) with Gene Upshaw, who was the President of the
NFL Players Union at the time, regarding my camp. The Washington Post wrote a full
page article about my camp and said no one would go on to play professional football
from my camp and try to imply that my camp was a scam. Actually, that was the very
reason for my camp, we had attended too many other camps around the country that
were scams. I had about 60 participants, with one player coming from as far away as
Hawaii. We held the camp at Lancaster Catholic, with a professional production
company filming the entire camp, while I did the editing and produced the video. The
well respected and widely acclaimed professional football scout, Gil Brandt, of the
Dallas Cowboys had given me support for my camp during some conversations I had
with him, he later wrote me a personal note about the camp and said he would evaluate
the video tapes and thought it was a good idea.
In 1986 I had founded Financial Management Group, Ltd.,. In one year, we had 24
people on staff, and had approximately 12 offices in Pennsylvania, and several satellite
offices in other states. We had raised in excess of $50 million in investments to manage
our first year. We had acquired our own Broker Dealer firm and were doing about $3.5
million dollars in gross commission income by the end our first year. We had financial
planners, investment managers, accountants, attorneys, real estate companies, liability
insurance companies, and others all in one office, on the Oregon Pike providing
Financial Planning services In 1987 I was in the midst of making the FIRST Digital
Movie, with one of the leading recording studios in the country, Power Station Studios
& Tony Bongiovi (Power Station
Studios) of New York. Tony developed his cousin Jon BON JOVI, and worked with a
list of Whos Who in the music industry including Bruce Springsteen, Diana Ross,
Cyndi Lauper, Talking Heads, Madonna, The Ramones, Steve Winwood, and on and
on. Tony had produced the orginial Sound Track for Star Wars which was released for
distribution, and was the number one Sound Track release of its time. Tony was also
active in working with aerospace technologies. I had developed and authored a Joint
Venture Proposal for SONY to partner with us in delivering the Digital Movie and its
related technologies to the marketplace. The venture was to include the
commercialization of technologies which Tony Bongiovi had developed for the
recording industry simultaneously with the release of the Digital Movie. I also created
the idea for the PSDMS which was to be the Trademark logo for
the technology, similar to the DOLBY sound systems trademark. The acronyms stand
for the Power Station Digital Movie System. Today, DVD is the mainstay for
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Wednesday
delivering movies on a portable medium.
In 1987 I had a mortgage banking company that was representing a major banking firm
in Houston Texas. I had the capability to finance projects up to $100 million dollars
And HAD MORE COMPETIVE RATES THAN LOCAL INSTITUIONS! I had
secured refinancing packages for Norris Boyd of and the Olde Hickory Hotel for his
property. I had talks with Drew Anton of the Eden Resort, for refinancing a portion of
his debt portfolio. I also had a number of other prominent developers seeking our
competitive funding, including Owen Kugal, High, the Fisher Group (owner of the Rt.
30 Outle ts) and many others around the country from New York to Hollywood.
In 1989 I was one of only 5 or 6 U.S. U.S. companies that had the capability to
manufacture CD-ROM's. We did business with commercial companies, government
agencies and foreign companies. I had worked with the Department of Defense,
NASA, NIST, IBM, Microsoft and others. I also was working with R.R, Donnelly's
Geo Systems, and had arranged for High Industries to sell American Helix to R.R
Donnelly where the executive from Donnellys Chicago headquarters flew to Lancaster
to discuss the deal. I later was developing proposals for Geo Systems to develop
interactive technologies, similar to the WWW. Geo Systems later went on to become
MapQuest, which today is the most widely used mapping software for a host of
technologies,
including the Internet.
In 1990 and 1991 I had worked on developing Voice Recognition systems for the
Governments Technology Think Tank - NIST (National Institute for Standards &
Technology). Today, most all call centers deploy that technology whenever you call an
800 number, and voice recognition is prevalent in all types of technology.
In 1991 I was elected to People to People International and the Citizen Ambassador
Program, which was founded by President Dwight D. Eisenhower in 1956. The
program was founded to To give specialists from throughout the world greater
opportunities to work together and effectively communicate with peers, The Citizen
Ambassador program administers face-to- face scientific, technical, and professional
exchanges throughout the world. In 1961, under President John F. Kennedy, the State
Department established a non-profit private foundation to administer the program. I
was scheduled to tour the Soviet Union and Eastern Europe to discuss printing and
publishing technologies
with scientists and technicians from around the world.
I am illustrating a point with all of these experiences. All of these projects were
outsidethe-box. There were no experts suggesting any of these projects would be
successful. I relied on my own information and instincts, and was right with all of them,
I was leading the industries that we participated in, not following the experts.
I believe that at this point in time, delaying the development of the Watt & Shand
building has greater risk, than seeing it be built by PSP, assuming they will bear the
financial risk. The baseball stadium is going to have a tremendous positive impact for
the community, and will need a counterpart in Downtown Lancaster. Synergy is the
operative word here. Waiting another 4 or 5 years to develop center city, would be a
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Wednesday
disaster in my opinion. Again, I agree with what your research tells you, however, there
are many opportunities that your research will never tell you, and that is what I am
including in my analysis.
I am most certainly not saying that I cant be wrong, however, this is my best
conclusion given all of the information that I have to evaluate. If I was given
misinformation by someone, or was deceived by someone, well then, it is what it is.
I hope you better understand how I derived at my conclusions.
Sincerely,
Stan Caterbone

3:00 AM - 3:30 AM

Robert Walker email

Advanced Media Group


From: Advanced Media Group [amgroup01@msn.com]
Sent: Wednesday, May 31, 2006 3:48 AM
To: 'walker@wexlergroup.com'
Subject: Yesterdays Hearings on FBI & Congressional Office
Attachments: monster resume may 12 2006.pdf; Pages from AMG Legal Systems Prototype
Upgrade to
Windows Oct 29 2005.pdf

Page 1 of 1
5/31/2006
Dear Mr.. Walker;
I just happen to see the end of the broadcast for the Hearings for the recent challenges
regarding the FBI and the
search and seizure issues regarding Congressional offices. Unfortunately, I missed your
testimony.
I am in current litigation in the United States District Court for the Eastern District of
Pennsylvania (CA No. 052288 Sealed), as a matter of fact, you may remember that back in 1990 you intervened in a
dispute with the
Defense Mapping Agency of the Department of Defense on my behalf (see attached).
My current litigation also involves Constitutional issues and I was curious as to the possibility
of you sharing your
testimonial brief views with me? If you so desire, facts surrounding my litigation could be
made available upon
request.
I am also enclosing my resume for future reference in the hopes that you may require my
expertise with regards
to your public relations firm. I often speak of you as the only person in Washington D.C. that
has ever helped me provide a solution to one of the many challenges of my career, and will
always be grateful for the manner and the results of your efforts.
I look forward to hearing from you.
Respectfully,
Advanced Media Group
Stan Caterbone
www.amgglobalentertainmentgroup.com
amgroup01@msn.com
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Fax: 717-427-1621

9:00 AM - 9:30 AM

OMNIS ACCOUNT

amgroup01@msn.com

Printed: Wednesday, May 31, 2006 9:49 AM

_____
From :
<ticket-578980@helpdesk.omnis.com>
Reply-To : ticket-578980@helpdesk.omnis.com
Sent :
Wednesday, May 31, 2006 9:41 AM
To : amgroup01@msn.com
Subject :
[Omnis Network] Support Ticket #578980
_____

Dear Customer:
Hi, this is Eddie from Omnis.com. We host your website
amgglobalentertainmentgroup.com. It seems that the hosting account is
queued for cancellation for non-payment. We are sending you this
notice to let you know that the account will be cancelled soon.
Please let us know if you wish to keep the account or cancel it. You
can give us a call at 1-877-393-4678 or just reply back to this
email.
Thank you,
Eddie
--------------------------------------------------Omnis Network, LLC
Website: http://www.omnis.com
Email: support@omnis.com
Phone Toll Free: 1-877-393-4678
> Original Message:
>Domain name: amgglobalentertainmentgroup.com Service_GID:
20050218163605360442

3:30 PM - 4:00 PM

Berks Reading Commonwealth Court of Common Pleas John Wert

John Wert Assistant to Judge Scheaffer


610-478-6675
610-478-6550
John Wert"possibly insufficient documentation", well I said possibly, file again to reconsider?"
should I show you my empty wallet?
Did not know what he was talking about.

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June 01, 2006


Thursday
9:00 AM - 9:30 AM

Maj Dist Justice Commins Contineance Filed -- Lancaster County Courthouse

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CRIMINIAL DIVISION
Commonwealth of Pennsylvania

:
:

CRIMINAL ACTION NO.


CR-0000169-06

:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516

:
:

STATE OF PENNSYLVANIA

:
:
: ss

COUNTY OF LANCASTER

___________________________________________________________________________
_______________
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CRIMINIAL DIVISION
PETITION FOR CONTINUANCE
I hereby petition the courts for a continuance in the foregoing case allowing the PETITIONER
to prepare a sufficient defense of the charges filed by the Commonwealth of Pennsylvania on
the following grounds:
1. PETITIONER has had files stolen from his residence and office, most recently
reported to the Southern Regional Police Department on May 26, 2006 that are
required to formulate a defense of the charges filed.
2. PETITIONER must confront issues dealing with the current litigation of civil actions
filed in the United States District Court for the Eastern District of Pennsylvania filed in
May of 2005 which are paramount to the PETITIONERS right to due process and will
assist in the PETITIONERS formulation of a sufficient defense for the foregoing
case.
3. PETITIONER is pro se and is facing financial difficulties that if unattended will leave
the PETITIONER without the following necessities that are required to formulate a
proper and sufficient defense of the charges filed and PETITIONER alleges
misconduct and criminal activity resulting in his financial demise :
a. Communication telephone, facsimile, and email, and U.S. postage
b. Transportation gasoline and maintenance required to file a legal
requirements at the Lancaster County Courthouse, the Bankruptcy Court of
Eastern Pennsylvania in Reading, Pennsylvania, and the United States
District Court for the Eastern District of Pennsylvania in Philadelphia.
c. Food PETITIONER is currently in the process of appeal with the
Pennsylvania Department of Welfare for Food Stamps and other benefits.
d. Internet Service Such service is required to formulate a proper defense of
the charges filed.
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4. PETITIONER requires sufficient time to subpoena witnesses required to formulate a
proper defense of the charges filed.
5. PETITIONER
PETITIONER is requesting that the Court provide at least a 30 day Continuance to alleviate
the above and formulate and prepare a proper and sufficient defense of the charges filed by
the Commonwealth of Pennsylvania.
DATED: _________________
_____________________________
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184
amgroup01@msn.com
_______________________
_______________________
_
Commonwealth of Pennsylvania

:
:

VI.

CRIMINAL ACTION NO.


CR-0000169-06

:
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516

ORDER

AND NOW, this __________ day of June, the Petition for a Continuance is granted and the
Hearing for the above reference case will be rescheduled by the Magisterial District Justice at
a later time and date.

BY THE COURT:

____________________________
____________________________

DATE:

Copies to:

Petitioner
Magisterial District Judge
___________________________________________________________________________
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______________________

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CRIMINIAL DIVISION
CERTIFICATE OF SERVICE

Stanley J. Caterbone represented by Stanley J. Caterbone


220 Stone Hill Road PRO SE
Conestoga, PA 19516
Service To:
MDJ B.D. Commins
15 Geist Road
Lancaster, PA 17601
Mr. Donald Totaro
Lancaster County District Attorney
50 North Duke Street
Lancaster, PA 17602
Certificates of Service were sent by United States 1st Class Mail on June 1, 2006.
By, ________________________________
Stanley J. Caterbone, Pro Se
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184

June 06, 2006


Tuesday
2:00 PM - 2:30 PM

Appeal for Food Stamps -- 2330 Vartan Way, 2nd Floor, Harrisburg, PA 17110

Bur of ~earings-~ppeals
2330 Vartan Way
Second Floor
Harrisburg PA 171 10-9946
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COMMONWEALTH OF PENNSYLVANIA
DEPARTMENT OF PUBLIC WELFARE
Bureau of Hearings & Appeals
Phone: (7 1 7) 783-3950
NOTICE OF HEARING DATE AND TIME ax: (71 7) 772-2769
Date May 23.2006
Stan J. Caterbone
220 Stone Hill Road
Conestoga PA 17516
Appellant Name and Address:
Stan J. Caterbone
220 Stone Hill Road
Conestoga PA 17516
Case No: 360234927-00 1
RE: PA/FS 162 1 4/26/06 67727927
PA/MA 162 4/26/06 67728027
Dear Mr. Caterbone:
This acknowledges your request for a fair hearing from a decision by the
Lancaster CAO concerning FoodStamp Denial: Interview/Appointment.
--..
A face-to-face hearing has been scheduled for you. Your hearing will be conducted at the
date, time and location below. Please notify this office immediately if you want to change to a
telephone hearing. We can call you at a number that you provide or you can use the
telephone at your CAO.
Hearing Date: June 6,2006 Time: 02:OO p.m.
Location: 2330 Vartan Wa Second Floor, Harrisburg
Administrative Law Judge (A~J)S: cott M. Staller
NOTE: 2330 Vartan Wa is located east of North Progress Ave., between 1-81 and
Linglestown Rd. (Rt 39). ,If you nee d' directions from a specific location, please call (717)
783-3958.
*IMPORTANT: If you, or a representatwe for you, is not available for the hearing, you will lose
the case. If, before the hearing, you give me a reason for your unavailability and the Bureau
of Hearings and Appeals deems the reason to be acceptable, the hearing will be postponed. If
the Bureau of Hearings and Appeals deems your reason to be unacceptable and you are not
available for the hearing, your appeal will be dismissed.
CONTINUED ON REVERSE
Please complete and sign the "REPLY TO BUREAU OF HEARINGS AND A P P E A L S ' "
~be~lo~w~, c ut an the dotted
line and-tetuumas&n_as eoss_ible_in th_ep.gagepaid ~ ... re3ly e n ~ l o p & ~ e ouf Hu and
App-ea-ls .
... . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .. . .. .
.........................................................................
...................................................
REPLY TO BUREAU OF HEARINGS AND APPEALS
Check all that apply:
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I will be available for the hearing June 6,2006
at 02:00 p.m. with ALJ
My correct telephone number
Scott M. Staller
I need an interpreter. Language needed: I a peryn with a disability and I need an
accommodation to
participate in the hearing. The accommodation I need is:
i will NOT be available for the hearing because:
BUREAU OF HEARING AND APPEALS
I wish to withdraw my appeal at this time (Only 2330 VARTAN WAY
the person who filed the appeal or hisher SECOND FLOOR
HARRISBURG PA 17110-9946
authorized representative can withdraw the
appeal).
Stan J. Caterbone
Signature Date 360234927-00 1

June 09, 2006


Friday
9:00 AM - 9:30 AM

Hearing for Conetoga Speeding Ticket -- District Court, 25 East State Street,Quarryville,PA 17566
717-786-7368

717-786-2072 fax

June 11, 2006


Sunday
8:00 PM - 8:30 PM

Country Music Awards

CMA Music Fest Sets Initial Lineup


February 13, 2006, 4:30 PM ET
Katie Hasty, N.Y.
Brooks & Dunn, Brad Paisley, Carrie Underwood and Montgomery Gentry are
among the artists who will perform at the 2006 CMA Music Festival. Slated for June
8-11 in downtown Nashville, the Country Music Association-staged event will consist
of four days of live music and opportunities for fans to get up close to some of their
favorite artists.
Artists like Trace Adkins, Terri Clark, Billy Currington, Sara Evans, Miranda Lambert,
Martina McBride, LeAnn Rimes and Blake Shelton are also slated to appear at the
festival, formerly known as Fain Fair. Half of all proceeds will go toward charities
hand-picked by participating artists who appear at the event for free.

June 14, 2006


Wednesday
1:00 PM - 2:00 PM

Hearing Harisburg Airport Citation -- 1281 South 28th Steet, Harrisburg, PA 17111 717-558-1160

MDT citation for leaving car unattended to go look for Sheryl in Terminal. Left car and talked
to Security Officer and he said it was ok and ordered me to move car, and I did. He did not
write me a citation on that day.
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June 15, 2006


Thursday
10:00 AM - 10:30 AM

Hearing DJ Ballentine Caterbone v. Comcast -- 30 Locust Street,Lancaster,PA

June 17, 2006


Saturday
8:00 PM - 8:30 PM

Tim McGraw & Faith Hill - SOLD OUT --

GIANT Center

Event Name: 2nd Show Added for Tim McGraw & Faith Hill - SOLD OUT
Type of Event: Concert
Show
Entertainment
Venue: GIANT Center
Hershey
Event Date(s): 6/17/06
Event Time(s): 8:00 PM
On-Sale Date: 3/25/06
On-Sale Time: 10:00 AM
Admission:
$87.75, $62.75 and $42.75
***8 Ticket Limit***
Processing fee will apply
Parking Fee is applicable
Event Details: Their first scheduled show sold out in just minutes. Now the most famous
couple in country music will perform at the GIANT Center on June 17 at 8 p.m. Tickets go on
sale on Saturday, March 25 at 10 a.m.
The mega-tour, which is expected to exceed 70 concert dates, will kick off on April 21 at The
Nationwide Arena in Columbus, Ohio. Soul2Soul II puts to end a nearly six-year hiatus away
from the road for Hill, and puts McGraw back onstage in front of the loyal audiences that have
served to make him one of the music industrys biggest touring acts.
Tim McGraw and Faith Hills Soul2Soul Tour 2000 marked one of the industrys most
successful concert tours of the millennium. It produced fast sell-outs, box office sales records
at venues across America, and critical accolades. Since its conclusion nearly six years ago,
speculation and anticipation for a follow-up tour has been widespread.
Fans can expect a great seat anywhere in the house with Soul2Soul II Tours unique in-theround set design that will put fans closer than ever to the concert action. For the Soul2Soul
II Tour, McGraw and Hill also have combined their efforts to create Club SuperSoul, an
interactive fan package that grants fans access to both artists' online fan clubs, an exclusive
behind-the-scenes look at the tour, presale access, pre-show party lottery and limited-edition
merchandise. In addition, Soul2Soul II Tour media partner AOL will offer fans the
opportunity to buy tickets in advance on the Web through AOL Tickets at www.aol.com/tickets
as of February 22.
Combined, McGraw and Hill have more than 60 million albums sold, six Grammy Awards, 17
American Music Awards, 22 Country Music Association Awards and 16 Academy of Country
Music Awards. With 11 #1 albums and more than 35 #1 singles, Tim McGraw and Faith Hill
are not just country musics reigning first couple, they are each, in their own right, among their
generations most successful performers.
Soul2Soul II will feature the songs that have become synonymous with Tim and Faiths
careers over the past decade. Along with some never-before-seen musical performances, the
show will feature what insiders are calling one of the most unique set designs ever made and
with the latest in visual technology and lighting design, Soul2Soul II Tour will include many
of Tim and Faiths biggest hits and duets.
The Soul2Soul II Tour is being presented by The Hershey Company. Fans of Hershey'sAdvanced Media Group

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Saturday
along with Tim and Faith-share a love for great music and chocolate, creating a winning
combination for the Soul2Soul II Tour.
For more information or tickets: Call GIANT Center Box Office at 717-534-3911 or visit
www.giantcenter.net
For this concert, the wristband policy will be in effect. Fans are permitted on HERSHEYPARK
property beginning at a 7 AM on Saturday, March 25. Two hours prior to the on-sale, fans are
directed in front of GIANT Center, where they are issued a numbered wristband. Wristbands
are available for one hour, and at the conclusion of that hour, a selected fan will randomly
select a wristband that will determine the line order. For example: if 1000 wristbands are
issued during that hour and the number 500 is selected, the person wearing wristband 500 will
be the first person in line. Numbers 501 to 1000 will proceed in line behind followed by
numbers 1-499. Once the line is in place, everyone arriving after the wristbands were issued
will be escorted to the end of the numbered line.
Tickets also available at: Ticketmaster at 717-260-2000, 570-693-4100, or 215-336-2000 or
visit their website www.ticketmaster.com
Doors open 60-90 minutes prior to show. Times subject to change.
Note: Cameras are not permitted. Audio and video recorders, movie cameras and press
cameras are never permitted except by special permission of the artists management.
HERSHEYPARK Deal: Ride the day away at HERSHEYPARK before you rock and roll all
night! HERSHEYPARK offers a special discounted admission price of just $25.95 to concert
go-ers when purchasing and using a Park ticket on the day of the concert! Just present your
concert ticket at the HERSHEYPARK Front Gate the day of the concert to receive the
discount.
ALL INFORMATION SUBJECT TO CHANGE WITHOUT NOTICE.
Phone: Call 717-534-3911 for more details.

June 18, 2006


Sunday
8:00 PM - 8:30 PM

Tim McGraw & Faith Hill - SOLD OUT -- Hershey Stadium

Tim McGraw & Faith Hill - SOLD OUT

June 19, 2006


Monday
3:00 PM - 3:30 PM

Hearing District M Simms Lanc City Police Littering 299-7966 -- 301 North Queen Street, Lancaster, PA
17603

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: m T m
02-2-04
MDJ Name: Hon
RICEARD H. Simms
Address: 301 U QUEEN ST
LAUCASTER, PA
STAMLEY J. CATERBONE
220 STONE HILL PI,
COmSTOQA, PA 17516
NOTICE OF TRIAL
SUMMARY CASE
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Monday
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT: NAME and ADDRESS
STANLEY J. CATERBONE
220 STONE HILL BD
CONESTOGA, PA 17516
LJ
Docket No. NT-0000598-06
Date Filed: 4/25/06
Charae(s):
18 86501 SSAl SCATTERING RUBBISH
I
I
This court has received your plea of NOT GUILTY to the above summary violation(s). The
sum of $ -00
has been accepted as collateral for your appearance at trial.
Your trial has been scheduled as follows:
Should you fail to appear for your trial, a warrant may be issued for your arrest.
Date: June 19,2006
Time: 3:OO PM
Failure to appear for your trial shall constitute consent to trial in your absence and if you are
found guilty, the collateral
deposited shall be forfeited and applied toward the fine and costs. You shall have the right to
appeal within thirty days
for a trial de novo.
g
301 U QUEEN ST
LAMCASTER, PA 17603
717-299-7966
If you have any questions, please call the above office immediately.
You have the r~ghtto be represented by an attorney. You have the right to have any
witnesses present. It is your
responsibility to not~fyy our attorney and/or witnesses of this trial date and time.
5/10/06
Richard H. Simms
My commission expire
If you are disabled and require a reasonable accommodation to gain
and its services, please contact the Magisterial District Court at the a
We are unable to provide transportation.
CITIATION NUMBER: P5612199-8
DATE SIGNED: 4/16/2006
DATE PRINTED: 5/10/06 9:40:40 AM
AOPC 61 1-05

June 22, 2006


Thursday
9:00 AM - 9:30 AM

Hearing Majistrict Dist Hamilton 872-4361 -- 324 Beaver Valley Pike,Willow Street,PA 17584

COMMONWEALTH OF PENNSYLVANIA NOTICE OF CONTINUANCE


COUNTY OF LANCASTER
Mag Dist NO.
02-2-06 COMMONWEALTH OF PENNSYLVANIA
M W Name Hon
LEO H. ECKERT, JR
AddresS 841 STEHMAN ROAD
MILLERSVILLE,PA
VS.
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Thursday
DEFENDANT NAME and ADDRESS
Telephone (717 ) 872-4361 17551-9753
STANELY, J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
Date Flled: 4/12/06
Please note that the hearing in the above captioned case, which was scheduled to occur on:
5/15/06
has been continued to:
If you have any questions, please contact this office immediaiely.
Date: 6/22/06
Time: 9:OO AM
Continuance requested by: MAGISGERIAL DISTRICT JUDGE
Place: DISTRICT COURT 02-3-03
324 BEAVER VALLEY PIKE
WILLOW STREET, PA 17584
If you are disabled and require assistance, please contact the Magisterial District office at the
address above.
I
COMPLAINT NUMBER: 060455C DATE PRINTED: 5/12/06 1:36:28 PM
DATE COMPLAINT SIGNED: 0/00/00

6:00 PM - 9:00 PM

Clint Black/Dwight Yoakam Concert at Clipper Magazine Stadium! -- Clipper Stadium

June 23, 2006


Friday
6:00 PM - 6:30 PM

Dave Matthews Band and O.A.R. -- HERSHEYPARK Stadium

Dave Matthews Band and O.A.R.


Type of Event: Concert
Show
Entertainment
Venue: HERSHEYPARK Stadium
Hershey
Event Date(s): 6/23/06
Event Time(s): 7:00 PM
On-Sale Date: 4/8/06
On-Sale Time: 10:00 AM
Admission:
$56.50 reserved field - 2 Ticket Limit
$40.75 general admission field and reserved grandstands - 6 Ticket Limit
Processing fee applies
Parking fee applicable
Event Details: Highlights on this years trek through the States include the bands second
stand at New York Citys Randalls Island, their annual three-night appearance at the Gorge
Amphitheatre outside of Seattle, and the bands first-ever performance at Hollywoods famed
Hollywood Bowl.
Last year, DMB spearheaded a fundraising effort highlighted by a special appearance at
Denvers famed Red Rocks, where they raised more than $1.5 million for victims of Hurricane
Katrina.
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Friday
O.A.R.s brand new Everfine/Lava/Atlantic album, Stories of a Stranger, sold more than
28,000 units in its first week of release, placing them firmly in the Top 40 on the Billboard 200
album chart. Strong modern rock radio airplay, several television appearances and relentless
touring have made this Rockville, Maryland-based rock band a huge success throughout
America.
For more information, please contact John Vlautin at SpinLab at 323-465-3700, via e-mail at
jv@spinlab.net or online at www.davematthewsband.com
Tickets are available at GIANT Center Box Office, charge by phone at 717-534-3911 or
717-260-2000, all TICKEMASTER locations, ticketmaster.com, or CC. COM. All show dates,
on sale dates, support artists and ticket prices are subject to change without notice.
For this concert, the wristband policy will be in effect. Fans are permitted on HERSHEYPARK
property beginning at 7 a.m. on Saturday, April 8. Two hours prior to the on-sale, fans are
directed in front of GIANT Center Box Office, where they are issued a numbered wristband.
Wristbands are available for one hour, and at the conclusion of that hour, a selected fan will
randomly select a wristband that will determine the line order. For example: if 1,000
wristbands are issued during that hour and the number 500 is selected, the person wearing
wristband 500 will be the first person in line. Numbers 501 to 1,000 will proceed in line behind
followed by numbers 1-499. Once the line is in place, everyone arriving after the wristbands
were issued will be escorted to the end of the numbered line.
Doors open 60-90 minutes prior to show. Times subject to change.
Note: Cameras are not permitted. Audio and video recorders, movie cameras and press
cameras are never permitted except by special permission of the artists management.
HERSHEYPARK Deal: Ride the day away at HERSHEYPARK before you rock and roll all
night! HERSHEYPARK offers a special discounted admission price of just $25.95 to concert
go-ers when purchasing and using a Park ticket on the day of the concert! Just present your
concert ticket at the HERSHEYPARK Front Gate the day of the concert to receive the
discount.
ALL INFORMATION SUBJECT TO CHANGE WITHOUT NOTICE.
Phone: Call 717-534-3911 for more details.

June 28, 2006


Wednesday
2:00 PM - 2:30 PM

Hearing District Maj Smith - HIA Parking -- 1281 South 28th Street,Harrisburg,PA 17111

I COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: DAUPHIN
Mag Dist. No
12-2-01
MDJ Name Hon.
MICHAEL J. SMITH
1281 S 28TE ST
HARRISBURG, PA
STAN CATERBONE
220 STONE HILL RD.
COElESTOGA, PA 17516
1I
NOTICE OF CONTINUANCE
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Wednesday
Telephone (717 ) 558-1160 17111
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT: NAME AND ADDRESS
CATERBONE, STAN
220 STONE HILL ROAD
CONESTOGA, PA 17516
Date Filed: 4/24/06
Please note that the hearing in the above captioned case, which was scheduled to occur on:
6/14/06
has been continued to: June 28th, 2006 2:15 PM
If you have any questions, please contact thls offlce immediatley
Cont~nuancere quested by BURNS, STEVEN G.
If you are disabled and require assistance, please contact the Magisterial District office at the
address above.
5/15/06 Date
My commission expires first Monday of January
CITATION NUMBER: B1270724-0 DATE PRINTED: 05/15/06
9:37:30 AM
DATE CITATION ISSUED: 4/24/06

July 02, 2006


Sunday
1:00 PM - 8:00 PM

Advanced Media Group

Blondie and Cars Clipper -- Clipper Stadium

190

9/25/2006 10:03 AM

June 15, 2006


Thursday
All Day

PA Attorney General Gus Dorn

Said to put it in writing, said ..


TOM CORBET
ATTORNEY GENERAL
COMMONWEALTH OF PENNSYLVANIA
OFFICE OF ATTORNEY GENERAL
RUREAII OF CONSUMER PROTECTION
Harrisburg Regional Office
301 Chestnut Street, Suite 105
Harrisburg, PA 17101
(7171 787-7109
May 31, 2006
Stdn Caterbone
220 Stone Hill Road
Zonestoya, PA 17516
Ref: Yarnell Securities, A-002594-2006
Dedr Mr. Caterbone:
The erlclosed correspondence is related to your complaint filed with
the Bureau
01 Consumer Protection.
Please provide us with a written response to this correspondence
within
fifteen (15) days of the date of this letter so that we may further
evaluate
your complaint.
If we do not hear from you in a reasonable amount of time, we will
assume that
you do not wish to pursue the matter further.
Thank you for your cooperation and attention to this matter.
Very truly yours,
H. Gus Dorn
P/&,
Senior Agent
ml
Enclosure
25C

10:00 AM - 10:30 AM

Hearing DJ Ballentine Caterbone v. Comcast -- 30 Locust Street,Lancaster,PA

Comcast failed to show, Office said I will receive new notice, I said
I win by defualt judgement. I was not notified by mail or any new
hearing date. Nothing in mail today either.

1:00 PM - 1:30 PM

Harleysvill - PA Insruance Dept. Jim John Phone Call

Vonney Shutt out of office, supervisor, took call, said he would


investigate and get back to me in a few days.

June 17, 2006


Saturday
8:00 PM - 8:30 PM

Tim McGraw & Faith Hill - SOLD OUT -- GIANT Center

Event Name:

2nd Show Added for Tim McGraw & Faith Hill - SOLD OUT

Type of Event:
Show
Entertainment
Venue:
Stan Caterbone

Concert

GIANT Center
1

9/25/2006 10:16 AM

June 17, 2006 Continued


Saturday
Hershey
Event Date(s):
6/17/06
Event Time(s):
8:00 PM
On-Sale Date:
3/25/06
On-Sale Time:
10:00 AM
Admission:
$87.75, $62.75 and $42.75
***8 Ticket Limit***
Processing fee will apply
Parking Fee is applicable
Event Details:
Their first scheduled show sold out in just
minutes. Now the most famous couple in country music will perform at
the GIANT Center on June 17 at 8 p.m. Tickets go on sale on Saturday,
March 25 at 10 a.m.
The mega-tour, which is expected to exceed 70 concert dates, will
kick off on April 21 at The Nationwide Arena in Columbus, Ohio.
Soul2Soul II puts to end a nearly six-year hiatus away from the road
for Hill, and puts McGraw back onstage in front of the loyal
audiences that have served to make him one of the music industrys
biggest touring acts.
Tim McGraw and Faith Hills Soul2Soul Tour

8:00 PM - 8:30 PM

Tim McGraw & Faith Hill - SOLD OUT -- GIANT Center

Event Name:

2nd Show Added for Tim McGraw & Faith Hill - SOLD OUT

Type of Event:
Show
Entertainment
Venue:
Hershey

Concert

GIANT Center

Event Date(s):
6/17/06
Event Time(s):
8:00 PM
On-Sale Date:
3/25/06
On-Sale Time:
10:00 AM
Admission:
$87.75, $62.75 and $42.75
***8 Ticket Limit***
Processing fee will apply
Parking Fee is applicable
Event Details:
Their first scheduled show sold out in just
minutes. Now the most famous couple in country music will perform at
the GIANT Center on June 17 at 8 p.m. Tickets go on sale on Saturday,
March 25 at 10 a.m.
The mega-tour, which is expected to exceed 70 concert dates, will
kick off on April 21 at The Nationwide Arena in Columbus, Ohio.
Soul2Soul II puts to end a nearly six-year hiatus away from the road
for Hill, and puts McGraw back onstage in front of the loyal
audiences that have served to make him one of the music industrys
biggest touring acts.
Tim McGraw and Faith Hills Soul2Soul Tour

Stan Caterbone

9/25/2006 10:16 AM

June 18, 2006


Sunday
8:00 PM - 8:30 PM

Tim McGraw & Faith Hill - SOLD OUT -- Hershey Stadium

Tim McGraw & Faith Hill - SOLD OUT

8:00 PM - 8:30 PM

Tim McGraw & Faith Hill - SOLD OUT -- Hershey Stadium

Tim McGraw & Faith Hill - SOLD OUT

8:00 PM - 8:30 PM

Tim McGraw & Faith Hill - SOLD OUT -- Hershey Stadium

Tim McGraw & Faith Hill - SOLD OUT

June 19, 2006


Monday
12:00 AM - 12:30 AM

Judge Mary McLaughlin Order for Amended Complaint

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE CIVIL ACTION
v.
LANCASTER COUNTY PRISON.
NO. 05-2288
ORDER
Filed JUN 19 20006
AND NOW, this 19th day of June, 2006, upon consideration of the
plaintiff's reply brief in support of his motion for an ex parte
meeting with the Court, IT IS HEREBY ORDERED that, to the extent that
the plaintiff is requesting leave to file an amended complaint: 1)
the request shall be deemed a motion to file an amended complaint;
and 2) the motion is GRANTED. Although the Court dismissed many of
the claims in the original complaint as time-barred, and the
plaintiff has not attached a proposed amended complaint to
demonstrate that he will be able to cure the deficiencies in the
original complaint, the plaintiff is entitled to amend his pleadings
once as a matter of course before a responsive pleading is served.
Fed. R. Civ. P. 15(a); Shane v. Fauver, 213 F.3d 113, 115 (3d Cir.
200

10:30 AM - 11:00 AM

H. Gus Dorn Commonwealth Of Pennsylvania

Advanced Media Group


220 Stone Hill Road
Conestoga, PA
17516
June 19, 2006
H. Gus Dorn
Commonwealth Of Pennsylvania
Office Of Attorney General
Bureau Of Consumer Protection
Harrisburg Regional Office
301 Chestnut Street, Suite 105
Harrisburg, PA 17101
(7171 787-7109
Stan Caterbone

9/25/2006 10:16 AM

June 19, 2006 Continued


Monday
May 31, 2006
Re: A-002594-2006
As per our conversation, I will address the issues contained in Mr.
Yarnells response to your office. Please not that I was not given
any of the exhibits that Mr. Yarnell submitted to your office.
On August 26,2005 we entered into an agreement with Mr. Caterbone
for the installation and monitoring of an alarm system at 220 Stone
Hill Road Conestoga, PA 17518. Our standard pricing for the system he
ordered is $1,899.00 and then he would pay $192.00 per year for the
monitoring of the system. Another option he was given was to pay
$1,324.00 for the installation and then pay $299.40 per year for 5
years. Mr. Caterbone chose the 2nd option. (Attached ma

11:30 AM - 12:00 PM

Visit Lancaster Courthouse PA Rules Book Returned to Briefcase -- Lancaster County Courthouse

Noticed when getting briefcase out to go into courthouse


Get release of lien doc from Prothonetary

June 20, 2006


Tuesday
4:00 AM - 4:30 AM

Woke up with legs locked

Both groins were locked, could not walk, hypnotized via tv??

10:30 AM - 11:00 AM

Hearing East Lampeter Prelim Hearing

1:30 PM - 2:00 PM

Visit Lancaster County Prothenetary Civil & Criminal -- Lancaster County Courthouse

File release of lien and get info for appeal for Tim Decker Eckert
Citation
Nunc Pro Tume for Eckert Appeal from Criminal Clerk of Courts
the plaintiff in the above Judgment, do hereby howledge to have
recieved fill satisfaction for the same, and
hereby authorize and empowet. the Prothonotary of the Court of Common
Pleas of Lancaster Camty to enter
satisfacticm thereon and release the same.
WITNESS Li dia 2 hmd and seal the '20 day of
3
COMMONWEALTH OF PENNSYLVANIA,
ss. :
A c o r n ,
Before me, the suhribet, a ndw,, ~ b \ ; c in and for said County,
personally came the abovenamed ~ i a ?nI '~ htebro rne
who in due form of law acknowleded the above Pbwer of Attorney to
release the above-stated Judgment, to be hi 5 - act and deed, to the
end that the same might
be recorded as such.
WITNESS my hand and seal the day and year above written,
No= Tbir pgsr must be rknowlcd&ad b& n falice af thv PPW. Motnly
Psblie, ar albar affias duly rwitld by
*w m tab 1 c f ~ l d ~ l 8

Stan Caterbone

9/25/2006 10:16 AM

June 20, 2006 Continued


Tuesday
3:30 PM - 4:00 PM

Harleysvill PA Insurnace Dept Vonney Shutt Phone Call -- Harrisburg,PA

Kept giving me a run around and saying "why don't you send it
certified"
Told her he has all he needs for claim, will not talk or communicate
with Plum, told her to do her job, I filed complaint, not him.go
to hell

3:30 PM - 4:00 PM

Harleysvill PA Insurnace Dept Vonney Shutt Phone Call -- Harrisburg,PA

Kept giving me a run around and saying "why don't you send it
certified"
Told her he has all he needs for claim, will not talk or communicate
with Plum, told her to do her job, I filed complaint, not him.go
to hell

5:30 PM - 6:00 PM

Don Totaro - email to All Contacts

http://gfx2.hotmail.com/lgo_msn_215x39.gif
amgroup01@msn.com Printed: Wednesday, June 21, 2006 4:49 AM
_____
From :
Stan Caterbone <amgroup01@msn.com>
Sent :
Tuesday, June 20, 2006 6:55 PM
To : ureyp@co.lancaster.pa.us
Subject :
What was today?
_____
ATTN - Mr. Don Totaro
Re:

CR-000169-06

What went on today in District Justice Commin's Courtroom at


approximately 11:00am?
You will not get away with all of your lies and deception. You
fabricated these charges last October, said you were going to refile
charges in December, never did, then when I put the truth before the
United States District Court for the Eastern District of
Pennsylvania, you refiled your fabricated charges.
Then today, encouraged everyone to lie under oath, including your
District Attorney, whoever she was.
You should be ashamed.

Advanced Media Group


Stan Caterbone
mailto: <http://by104fd.bay104.hotmail.msn.com/cgi-bin/compose?
mailto=1&msg=D

Stan Caterbone

9/25/2006 10:16 AM

June 21, 2006


Wednesday
6:30 AM - 7:00 AM

Email to Judicial Conduct Board for Commins Hearing

amgroup01@msn.com Printed: Wednesday, June 21, 2006 6:40 AM


_____
From :
Advanced Media Group <amgroup01@msn.com>
Sent :
Wednesday, June 21, 2006 6:36 AM
To : <joseph.massa@jcbpa.org>
CC : <amgauctions@comcast.net>, "Chief Fiorill "
<FiorillJ@police.co.lancaster.pa.us>
Subject :
Complaint No. 2006-215
_____
http://gfx2.hotmail.com/i.p.attach.gifAttachment :
MDJComminsSomethingHearingjun202006.pdf
<http://by104fd.bay104.hotmail.msn.com/cgi-bin/getmsg?
&msg=C61CCE00-13C8-4BEE-AFC9-B27AC357F29E&start=0&len=1463933
&mimepart=5&curmbox=00000000%2d0000%2d0000%2d0000%2d000000000001&a=
91c684f035c549da9f063c3e905d2718eb88843cfd77b39b9e7191b779191578
&vscan=scan> (0.62 MB), VonageRecordsforJune15toJune21.pdf
<http://by104fd.bay104.hotmail.msn.com/cgi-bin/getmsg?
&msg=C61CCE00-13C8-4BEE-AFC9-B27AC357F29E&start=0&len=1463933
&mimepart=6&curmbox=00000000%2d0000%2d0000%2d0000%2d000000000001&a=
91c684f035c549da9f063c3e905d2718eb88843cfd77b39b9e7191b779191578
&vscan=scan>

9:00 AM - 9:30 AM

Paid Eckert $25.00 for citations

SRP Officer said could not get a copy of files after asking Office
Manager - wanted me to cause disturbance so could cite me with
disordorly conduct or get another 302
She was abusive, kept trying to get me mad with back talk and kept
telling me it will cost me for citations, I would have to pay wether
in Bankruptcy or not.
Said will call when files are copied

11:00 AM - 11:30 AM

Public Defender Office

Get application, needed Police Complaints, will get later

11:30 AM - 12:00 PM

Visit Lancaster General Hospital

Sent to Corporate attorneys at 609 Cherry Street were not in said


will call back.

11:30 AM - 12:00 PM

Visit Lancaster General Hospital

Sent to Corporate attorneys at 609 Cherry Street were not in said


will call back.

4:00 PM - 4:30 PM

Public Defender Office

App accepted - wanted me to sign Waiver, would not without seeing it,
would not let me review document, did not let me in for a meeting,
said I would come back Friday.

Stan Caterbone

9/25/2006 10:16 AM

June 22, 2006


Thursday
3:00 AM - 3:30 AM

Comcast & Internet Shutt Off

Digital Cable went down.

9:00 AM - 9:30 AM

Hearing Majistrict Dist Hamilton 872-4361 -- 324 Beaver Valley Pike,Willow Street,PA 17584

COMMONWEALTH OF PENNSYLVANIA NOTICE OF CONTINUANCE


COUNTY OF LANCASTER
Mag Dist NO.
02-2-06 COMMONWEALTH OF PENNSYLVANIA
M W Name Hon
LEO H. ECKERT, JR
AddresS 841 STEHMAN ROAD
MILLERSVILLE,PA
VS.
DEFENDANT NAME and ADDRESS
Telephone (717 ) 872-4361 17551-9753
STANELY, J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
Date Flled: 4/12/06
Please note that the hearing in the above captioned case, which was
scheduled to occur on: 5/15/06
has been continued to:
If you have any questions, please contact this office immediaiely.
Date: 6/22/06
Time: 9:OO AM
Continuance requested by: MAGISGERIAL DISTRICT JUDGE
Place: DISTRICT COURT 02-3-03
324 BEAVER VALLEY PIKE
WILLOW STREET, PA 17584
If you are disabled and require assistance, please contact the
Magisterial District office at the address above.
I
COMPLAINT NUMBER: 060455C DATE PRINTED: 5/12/06 1:36:28 PM
DATE COMPLAINT SIGNED: 0/00/00

9:30 AM - 11:30 AM

Travel to Reading Bankruptcy Court to file brief -- Reading,PA

9:30 AM - 11:30 AM

Travel to Reading Bankruptcy Court to file brief -- Reading,PA

11:30 AM - 12:00 PM

Joe Pinto Clipper Stadim -- Clipper Stadium

Stop to see Joe about concert sales.


number.

Said "Bad" could not give

Rodie for Dwight Yocum was an arrogant sob


Guy from All access was telling me about previous shows, about 3000
average

11:30 AM - 12:00 PM

Joe Pinto Clipper Stadim -- Clipper Stadium

Stop to see Joe about concert sales.


number.
Stan Caterbone

Said "Bad" could not give

9/25/2006 10:16 AM

June 22, 2006 Continued


Thursday
Rodie for Dwight Yocum was an arrogant sob
Guy from All access was telling me about previous shows, about 3000
average

12:30 PM - 12:30 PM

Public Defender Office -- King Street

Come back after lunch

3:00 PM - 4:30 PM

Matt Bomberger - Public Defender Office

Wanted me to go over Busser case, would not, wanted to go over East


Lampeter 1st
Never said anything about waiver till I mentioned it, did not expect
to go over cases
Attitude towards Fed suits, other person in office kept heckling me,
asked who he was Steve Greenalay???
Went over statement gave reicept for D&S
Would not tell me if he was my public defender, said he didn't know
Wanted me to go over Busser case, said I was tired, later date, would
not agree to meet later or schedule a meeting to discuss, kept
wanting me to go over it then

5:00 PM - 5:30 PM

Chapter 11 Brief and Order Due

Hearing Date: June 29,2006


Time: ll:00 a.m.
Location: Courtroom #I, Reading, PA
IN THE UNITED STATES BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
IN RE: CHAPTER 11
STANLEY J. CATERBONE, BANKR. NO. 05-23059REF
Debtor.
UNITED STATES TRUSTEE'S MOTION TO DISMISS
OR CONVERT TO C M E R 7
The United States trustee for Region 3, in furtherance of the
administrative
responsibilities imposed pursuant to 28 U.S.C. Section 586(a), hereby
moves, pursuant to
1 1 U.S.C. 5 11 12(b), for the entry of an order dismissing this
case, or converting this case to one
under Chapter 7. In support of her motion, the United States trustee
represents as follows:
1. The Debtor commenced this case on May 23,2005, by filing a
volunta~y
petition under Chapter 11 of the United States Bankruptcy Code.
2. The Debtor's case has now been pending before this Court under
Chapter
11 for over one year and the Debtor has failed to file and/or obtain
approval of a disclosure
statement andlor conf

6:00 PM - 9:00 PM

Clint Black/Dwight Yoakam Concert at Clipper Magazine Stadium! -- Clipper Stadium

8:30 PM - 9:00 PM

Yokum/Black Concert

Estimate crowd at about 7,000, 10% of seats vacant, infield 80% full,
boxes looked 70%
Joe said only about 5,000.
Stan Caterbone

9/25/2006 10:16 AM

June 22, 2006 Continued


Thursday
11:30 PM - 12:00 AM

State police Found security breach in bedroom -

June 23, 2006


Friday
1:30 AM - 2:30 AM

Southern Regional & West Lampeter -- 220 Stone Hill Road

Call State Police for special services for finger print of window bar

2:30 AM - 3:00 AM

Comcast - Susan Gibson -- S. Duke Street

Said she would send repairman to fix. Said she did nothing with
account, and told repair dept to connect "Today"
Gave me Mabel Cob address for subpoena
Received call later, said it was a glitch in system.

6:00 PM - 6:30 PM

Dave Matthews Band and O.A.R. -- HERSHEYPARK Stadium

Dave Matthews Band and O.A.R.


Type of Event:
Concert
Show
Entertainment
Venue:
Hershey

HERSHEYPARK Stadium

Event Date(s):
6/23/06
Event Time(s):
7:00 PM
On-Sale Date:
4/8/06
On-Sale Time:
10:00 AM
Admission:
$56.50 reserved field - 2 Ticket Limit
$40.75 general admission field and reserved grandstands - 6 Ticket
Limit
Processing fee applies
Parking fee applicable
Event Details:
Highlights on this years trek through the States
include the bands second stand at New York Citys Randalls Island,
their annual three-night appearance at the Gorge Amphitheatre outside
of Seattle, and the bands first-ever performance at Hollywoods
famed Hollywood Bowl.
Last year, DMB spearheaded a fundraising effort highlighted by a
special appearance at Denvers famed Red Rocks, where they raised
more than $1.5 million for victims of Hurricane Katrina.
O.A.R.s brand new Everfine/Lava/Atlantic album, Stories of a
Stranger, sold more than 28,000 units in

6:00 PM - 6:30 PM

Dave Matthews Band and O.A.R. -- HERSHEYPARK Stadium

Dave Matthews Band and O.A.R.


Type of Event:
Concert
Show
Entertainment
Venue:
Hershey

HERSHEYPARK Stadium

Event Date(s):
Event Time(s):
On-Sale Date:
Stan Caterbone

6/23/06
7:00 PM
4/8/06
9

9/25/2006 10:16 AM

June 23, 2006 Continued


Friday
On-Sale Time:
10:00 AM
Admission:
$56.50 reserved field - 2 Ticket Limit
$40.75 general admission field and reserved grandstands - 6 Ticket
Limit
Processing fee applies
Parking fee applicable
Event Details:
Highlights on this years trek through the States
include the bands second stand at New York Citys Randalls Island,
their annual three-night appearance at the Gorge Amphitheatre outside
of Seattle, and the bands first-ever performance at Hollywoods
famed Hollywood Bowl.
Last year, DMB spearheaded a fundraising effort highlighted by a
special appearance at Denvers famed Red Rocks, where they raised
more than $1.5 million for victims of Hurricane Katrina.
O.A.R.s brand new Everfine/Lava/Atlantic album, Stories of a
Stranger, sold more than 28,000 units in

June 24, 2006


Saturday
All Day

PA Civil Rights Complaint Form Work in Progress

Civil Rights Enforcement


15th Floor, Strawberry Square
Harrisburg, PA 17120
(717) 787-0822
Fax: (717) 787-1190

2. IF EMPLOYMENT RELATED, WHOM IN MANAGEMENT HAVE YOU INFORMED OF


YOUR COMPLAINT?
WHAT ACTION WAS TAKEN?
3. DO YOU KNOW OF ANY OTHER INDIVIDUAL(S) WHO HAVE BEEN TREATED THE
SAME OR RECEIVED SIMILAR TREATMENT? No
WHAT HAPPENED TO THESE INDIVIDUALS?
4. DO YOU HAVE ANY WITNESSES TO VERIFY OR CONFIRM YOUR COMPLAINT? Yes
5. DID YOU SUFFER ANY MONETARY LOSS OR LOSS OF BENEFITS? PLEASE
EXPLAIN. Yes
6. PROVIDE THE DATE(S) OF INCIDENT(S):
July 2, 1987 - In an effort to continue all efforts and business
activities, Stan Caterbone visits the Office Works, owned and
operated by High Industries, to purchase a printer while staying in
Stone Harbor. FMG, Ltd., had an open account, which Stan Caterbone
authorized, as an officer of FMG, Ltd.,. The Office Works demands
cash payment and refuses to put the purchase on credit.
July 6, 1987 - In an e
Stan Caterbone

10

9/25/2006 10:16 AM

June 24, 2006 Continued


Saturday
All Day

PA Civil Rights Complaint Form Work in Progress

Civil Rights Enforcement


15th Floor, Strawberry Square
Harrisburg, PA 17120
(717) 787-0822
Fax: (717) 787-1190

2. IF EMPLOYMENT RELATED, WHOM IN MANAGEMENT HAVE YOU INFORMED OF


YOUR COMPLAINT?
WHAT ACTION WAS TAKEN?
3. DO YOU KNOW OF ANY OTHER INDIVIDUAL(S) WHO HAVE BEEN TREATED THE
SAME OR RECEIVED SIMILAR TREATMENT? No
WHAT HAPPENED TO THESE INDIVIDUALS?
4. DO YOU HAVE ANY WITNESSES TO VERIFY OR CONFIRM YOUR COMPLAINT? Yes
5. DID YOU SUFFER ANY MONETARY LOSS OR LOSS OF BENEFITS? PLEASE
EXPLAIN. Yes
6. PROVIDE THE DATE(S) OF INCIDENT(S):
July 2, 1987 - In an effort to continue all efforts and business
activities, Stan Caterbone visits the Office Works, owned and
operated by High Industries, to purchase a printer while staying in
Stone Harbor. FMG, Ltd., had an open account, which Stan Caterbone
authorized, as an officer of FMG, Ltd.,. The Office Works demands
cash payment and refuses to put the purchase on credit.
July 6, 1987 - In an e

All Day

PA Civil Rights Complaint Form Work in Progress

Civil Rights Enforcement


15th Floor, Strawberry Square
Harrisburg, PA 17120
(717) 787-0822
Fax: (717) 787-1190

2. IF EMPLOYMENT RELATED, WHOM IN MANAGEMENT HAVE YOU INFORMED OF


YOUR COMPLAINT?
WHAT ACTION WAS TAKEN?
3. DO YOU KNOW OF ANY OTHER INDIVIDUAL(S) WHO HAVE BEEN TREATED THE
SAME OR RECEIVED SIMILAR TREATMENT? No
WHAT HAPPENED TO THESE INDIVIDUALS?
4. DO YOU HAVE ANY WITNESSES TO VERIFY OR CONFIRM YOUR COMPLAINT? Yes
Stan Caterbone

11

9/25/2006 10:16 AM

June 24, 2006 Continued


Saturday
5. DID YOU SUFFER ANY MONETARY LOSS OR LOSS OF BENEFITS? PLEASE
EXPLAIN. Yes
6. PROVIDE THE DATE(S) OF INCIDENT(S):
July 2, 1987 - In an effort to continue all efforts and business
activities, Stan Caterbone visits the Office Works, owned and
operated by High Industries, to purchase a printer while staying in
Stone Harbor. FMG, Ltd., had an open account, which Stan Caterbone
authorized, as an officer of FMG, Ltd.,. The Office Works demands
cash payment and refuses to put the purchase on credit.
July 6, 1987 - In an e

June 26, 2006


Monday
9:00 AM - 9:30 AM

Done Eckert Payment due $25.00 Conestoga speeding & inspection citations

COMMONWEALTH OF PENPJSYLVANIA
COUNTY OF: W T t l s C
MPO Ma. NR:
02-2-06
mknec Wm.
w HI -T, JP
841 0- EUAD
H X ~PA ~ ,
ORDER IMPOSING SENTENCE
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDAM: NAME%-~AWRESS
ST- J.
220 BTmm HILL POlrD -, PA 17516
- YOU fHA* , y o u *
rice pummm Pa,
you to the following:
i
Sentenced to Fines, Costs, a& Restitution
You are hereby order8cl to make payment to thib court on
You are Mnby ordered to make an init'ilgyment to this court h the
amount oi $ - on-Refer to the Magisterial DWkt Judge Payment Order for additional
payment
&dub information. You are hereby ordered to make an initial payment of $
due on or before + Thereafter. a minimum payment of $
shall be made to this court with a final payment on
Refer to the Magisterial District Judge Payment Order for additional
payment schedule information.
Alternate Sentendlntemediate Puni-s hment 4 * + : *,--.---- .----.:
to commence on and conelude on
Sentenced to Imprisonment

Stan Caterbone

12

9/25/2006 10:16 AM

June 27, 2006


Tuesday
9:30 AM - 10:00 AM

MDJ Ballentine Request for Proposal

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF LANCASTER
REQUEST FOR SUBPOENA
Magisterial District Justice No.:

0 2 - 2 - 0 1

Kelly S. Ballentine, Esq


123 Locust St-Rear
Lancaster, Pa
717-299-7974
717-299-8375 Fax
Request For Subpoena
Caterbone, Stanley, J.
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184
Vs.
Defendant:
Comcast Cable
1113 South Duke St
Lancaster, Pa 17602
Date Filed: 06/27/2006
Re: Stanley J. Caterbone
Vs: Comcast Cable And Susan Gibson
Docket No. Cv-160-06
Subpoena Name And Address:

Mabel Cob
Bankruptcy Department
New Castle Call Center
4008 North DuPont Hwy
New Castle, De
19720
302-661-8228

IN FORMA PAUPERIS

1. I am the plaintiff in the above matter and because of my financial


condition am unable to pay the fees and costs of prosecuting or
defending the action or proceeding.
2. I am unable to obtain funds from anyone, including my family and
associates, to pay the costs Lit

10:00 AM - 10:30 AM

PA Civil Rights Nelson Brewster Atty Investigator

Civil Rights Enforcement


15th Floor, Strawberry Square
Harrisburg, PA 17120
(717) 787-0822
Fax: (717) 787-1190
Stan Caterbone

13

9/25/2006 10:16 AM

June 27, 2006 Continued


Tuesday

2. IF EMPLOYMENT RELATED, WHOM IN MANAGEMENT HAVE YOU INFORMED OF


YOUR COMPLAINT?
WHAT ACTION WAS TAKEN?
3. DO YOU KNOW OF ANY OTHER INDIVIDUAL(S) WHO HAVE BEEN TREATED THE
SAME OR RECEIVED SIMILAR TREATMENT? No
WHAT HAPPENED TO THESE INDIVIDUALS?
4. DO YOU HAVE ANY WITNESSES TO VERIFY OR CONFIRM YOUR COMPLAINT? Yes
5. DID YOU SUFFER ANY MONETARY LOSS OR LOSS OF BENEFITS? PLEASE
EXPLAIN. Yes
6. PROVIDE THE DATE(S) OF INCIDENT(S):
July 2, 1987 - In an effort to continue all efforts and business
activities, Stan Caterbone visits the Office Works, owned and
operated by High Industries, to purchase a printer while staying in
Stone Harbor. FMG, Ltd., had an open account, which Stan Caterbone
authorized, as an officer of FMG, Ltd.,. The Office Works demands
cash payment and refuses to put the purchase on credit.
July 6, 1987 - In an e

June 28, 2006


Wednesday
10:30 AM - 11:00 AM

Civil Rights Enforcement Complaint Finished

Civil Rights Enforcement


15th Floor, Strawberry Square
Harrisburg, PA 17120
(717) 787-0822
Fax: (717) 787-1190

2. IF EMPLOYMENT RELATED, WHOM IN MANAGEMENT HAVE YOU INFORMED OF


YOUR COMPLAINT?
DAVID PFLUMM; PFLUMM CONTRACTORS, INC., FEBRUARY OF 1998
WHAT ACTION WAS TAKEN?
NONE
3. DO YOU KNOW OF ANY OTHER INDIVIDUAL (S) WHO HAS BEEN TREATED THE
SAME OR RECEIVED SIMILAR TREATMENT?
NO
WHAT HAPPENED TO THESE INDIVIDUALS?
4. DO YOU HAVE ANY WITNESSES TO VERIFY OR CONFIRM YOUR COMPLAINT?
YES
Stan Caterbone

14

9/25/2006 10:16 AM

June 28, 2006 Continued


Wednesday
5. DID YOU SUFFER ANY MONETARY LOSS OR LOSS OF BENEFITS? PLEASE
EXPLAIN
YES
VARIOUS BUSINESS INTERESTS
1.
FINANCIAL MANAGEMENT GROUP,LTD., AND ALL RELATED OPPORTUNITIES
1987
a.
FMG ADVISORY,LTD. REGISTERED INVESTMENT ADVISOR
b.
FINANCIAL MANAGEMENT GROUP,LTD., STOCK AND
OPTIONS AND FRANCHISING OPPORTUNITIES
c.
MORTGAGE BANKING OPERATIONS
d.
VENTURE CAPITAL OPPORTUNITIES
e.
AVIATION CHARTER BUSINESS AND OPPORTUNITIES
2.
POWER PRODUCTIONS

2:00 PM - 2:30 PM

Hearing District Maj Smith - HIA Parking -- 1281 South 28th Street,Harrisburg,PA 17111

I COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: DAUPHIN
Mag Dist. No
12-2-01
MDJ Name Hon.
MICHAEL J. SMITH
1281 S 28TE ST
HARRISBURG, PA
STAN CATERBONE
220 STONE HILL RD.
COElESTOGA, PA 17516
1 I
NOTICE OF CONTINUANCE
Telephone (717 ) 558-1160 17111
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT: NAME AND ADDRESS
CATERBONE, STAN
220 STONE HILL ROAD
CONESTOGA, PA 17516
Date Filed: 4/24/06
Please note that the hearing in the above captioned case, which was
scheduled to occur on: 6/14/06
has been continued to: June 28th, 2006
2:15 PM
If you have any questions, please contact thls offlce immediatley
Cont~nuancere quested by BURNS, STEVEN G.
If you are disabled and require assistance, please contact the
Magisterial District office at the address above.
5/15/06 Date
My commission expires first Monday of January
CITATION NUMBER: B1270724-0
DATE PRINTED:
05/15/06
9:37:30
AM
DATE CITATION ISSUED: 4/24/06
_________________________________________

Stan Caterbone

15

9/25/2006 10:16 AM

June 28, 2006 Continued


Wednesday
2:00 PM - 2:30 PM

Hearing District Maj Smith - HIA Parking -- 1281 South 28th Street,Harrisburg,PA 17111

I COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: DAUPHIN
Mag Dist. No
12-2-01
MDJ Name Hon.
MICHAEL J. SMITH
1281 S 28TE ST
HARRISBURG, PA
STAN CATERBONE
220 STONE HILL RD.
COElESTOGA, PA 17516
1 I
NOTICE OF CONTINUANCE
Telephone (717 ) 558-1160 17111
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT: NAME AND ADDRESS
CATERBONE, STAN
220 STONE HILL ROAD
CONESTOGA, PA 17516
Date Filed: 4/24/06
Please note that the hearing in the above captioned case, which was
scheduled to occur on: 6/14/06
has been continued to: June 28th, 2006
2:15 PM
If you have any questions, please contact thls offlce immediatley
Cont~nuancere quested by BURNS, STEVEN G.
If you are disabled and require assistance, please contact the
Magisterial District office at the address above.
5/15/06 Date
My commission expires first Monday of January
CITATION NUMBER: B1270724-0
DATE PRINTED:
05/15/06
9:37:30
AM
DATE CITATION ISSUED: 4/24/06
_________________________________________

June 29, 2006


Thursday
1:00 PM - 1:30 PM

Judicial Complaint Revue Board Letter via mail

Commonwealth of Pennsylvania
Judicial Conduct Review Board
Pennsylvania Place
501 East Chestnut Street
Suite 403
Harrisburg, PA
17101
717-234-7911
June 29,2006
Stanley Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Stan Caterbone

16

9/25/2006 10:16 AM

June 29, 2006 Continued


Thursday
Dear Mr. Caterbone:
This letter will acknowledge receipt of your corrvndence dated June
27,2006, wherein you inquire about your recently filed complaints.
Specifically, you advise "I have no idea which complaint number is
assigned to what complaint" and request
clarification. The following list represents your recently filed
pending complaints:
2006-2 14 (MDJ William G. Reuter)
2006-2 1 5 (MDJ B. Denise Commins)
2006-220 (MDJ Lm H. Eckert, Jr.)
2006-221 (MDJ Stuart J. Mylh)
a 2006-222 (MDJ Maynard A. Hamilton, Jr.)
2006-224 (Judge David Reineker)
I trust this cIarifies any confusion mated by our previous
correspondence with regard to each individual complaint number
assignment.
I remind you the Pennsylvania Constitution provides

June 30, 2006


Friday
1:00 PM - 1:30 PM

Lancaster Co Prison Dismissal Order Appel & Yost

HARRY 8. YOST
JAMES W. APPEL
JOHN L. SAMPSON
KENNETH H. HOWARD
WILLIAM A. WHEATLY
WILLIAM J. CASSIDY, J R .
MAlTHEW G. GUNTHARP
ELAINE G. UGOLNIK
ROBERT W. HALLINGER PETER 8. ASTORINO
ERAOLEYA. ZUKE
RETIRED
T. ROBERTS APPEL. I1
GRETA R. AUL
OF COUNSEL
J. MARLIN SHREINER
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 175 16
LAW OFFICES
THIRlY-THREE NORTH DUKE STREET
LANCASTER. PENNSYLVANIA 17602
(7171 384-0521
FAX(717)431-1664
(emmi0 DonruO@appeIyost.com
June 30,2006
Stone Harbor Police Department
9508 Second Avenue
Stone Harbor, NY 08247
ROBERTS R. APPEL 11832-1986)
RALPH W. EBY. JR. (1841-1886)
MERRILL L. HASSEL 11941-1972)
OFFICE AT NEW HOLLAND. PA
142 EAST MAIN STREET
Stan Caterbone

17

9/25/2006 10:16 AM

June 30, 2006 Continued


Friday
(71 71 354-a1 17
OFFICE AT STRASSURQ. PA
39 EAST MAlN STREET
(7171 687-7071
OFFICE AT QUARRYYaLE.PA
175 OAKBOTTOM RD
(717) 788-31 72
OFF ICE AT EPHRATA. PA
123 EAST MAlN STREET
(7171 733-2104
OFFICE AT CHRISTIANA, PA
4 SADSBURY AVENUE
(810) 593-6740
Patricia J. Bax

July 02, 2006


Sunday
1:00 PM - 8:00 PM

Blondie and Cars Clipper -- Clipper Stadium

1:00 PM - 8:00 PM

Blondie and Cars Clipper -- Clipper Stadium

1:00 PM - 8:00 PM

Blondie and Cars Clipper -- Clipper Stadium

July 03, 2006


Monday
1:00 PM - 1:30 PM

Judge Mary McLaughlin Order to Lancaster Co Prison

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE 30 CIVIL ACTION
v.
LANCASTER COUNTY PRISON, et al. : NO. 05-2288
AND NOW, this 36fh of Tune, 2r06, upon consideration of the motion to
dismiss of Lancaster County Prison (Doc. No. 32).
whereas the Court dismissed the complaint as to Lancaster County
Prison on June 12, 2006, and whereas the plaintiff has not filed an
amended complaint, IT IS HEREBY ORDERED that the motion is DENIED as
MOOT.
BY THE COURT:
MARY -A. MCLAUGHLIN, J?

1:00 PM - 1:30 PM

PP&L Shut-Off Notice

July 05, 2006


Wednesday
9:30 AM - 10:00 AM

Hearing Dist Justice M Hamilton 464-4141 -- 324 Beaver Valley Pike, Willow Street,PA 17584

Fiorril lied about waving hands, giving him the finger, with both
hands on wheel, was taking picture, about tailing him 1 to 2 feet
going 45 mph for 1/2 to 3/4 miles, said happened after Amish Store.
Said I said " Go Fuck Yourself".
Judge never questioned Fiorell, just asked why he would lie, I said
because of Law Suits. Questioned why no finger printing, Judge
questioned me about someone stealing picture from computer of Fiorril
Stan Caterbone

18

9/25/2006 10:16 AM

July 05, 2006 Continued


Wednesday
during incident. Questioned me about mattress on Fiorrel roof of
car. Fiorill kept staring at me for long periods of time when I was
on the witness stand, was only 4 feet from me, trying to intimidate
me.
Judge was arrogant and would not listen to a word I said, kept trying
to rush my testimony, and kept trying to intimidate me by supporting
Fiorril. Told him Police Officers can lie to.
_____________________________________________________________________
_________________________________
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE:

9:30 AM - 10:00 AM

Hearing DJ Hamilton Busser -- 324 Beaver Valley Pike, Willow Street,PA 17584

Arrived 8:50 am, did not have a file. Matt Bomberger was already in
office behind the glass window with Hamilton's staff. Asked
Bomberger what his defense was, and told me to go outside, asked him
why he would not meet with me, he said he was out of office Friday
and Monday, and said about wanting to go over the file in the
meeting, reminded him about having the brief due, and that I was not
informed this hearing was on the schedule. I notified staff I had to
go home, walked outside and Busser pulled up, Bomberger said wait the
officer is here, I said I don't care, he said my defense is "you
didn't know what you were doing", I said you better find a better
defense than that.
Got back Officer Eisenhower of West Lampeter told me he had to frisk
me for weapons at the request of the Judge, and frisked me and
emptied my pockets right outside of the courtroom; and Judge
immediately started Hearing, Fired Bomberger because of inadequate
defense, Judge asked about if I knew of ramificati

11:00 AM - 11:30 AM

Call for Chapter 11 Hearing Transcript

July 06, 2006


Thursday
8:00 PM - 8:30 PM

Lancaster County Public Defender Letter to

Stan J. Caterbone
Advanced Media Group
220 Stone Hill Road
Conestoga, PA
17516
July 6, 2006
James J. Karl
Chief Public Defender
Lancaster County Commissioners
Office Of The Public Defender
28 East King Street
Second Floor. Suite 213
Po Box 83480
Lancaster. Pa 17608.3480
Re: Commonwealth v. Stanley Caterbone; OTN # K391399-1
Dear Mr. Karl:
On Wednesday, July 5, 2006 I had to dismiss your Assistant Public
Defender Mr. Matt Bomberger prior to the start of the Preliminary
Stan Caterbone

19

9/25/2006 10:16 AM

July 06, 2006 Continued


Thursday
Hearing scheduled before Magisterial District Judge Maynard Hamilton.
I had asked Mr. Bomberger prior to the start of the Hearing what was
he going to use for my defense, and he replied; You did not know
what you were doing. I asked him to rethink his strategy and come
up with another plan. He refused. He had violated his professional
code of ethics and your mandated authorization to provide me with a
competent legal defense.
I had requested meeting with Mr. Bomberger on numer

July 09, 2006


Sunday
7:30 PM - 8:00 PM

LadyBalcksmith

July 10, 2006


Monday
12:00 AM - 12:30 AM
1:00 PM - 1:30 PM

MDJ Commins East Lampeter Appeal Due


Letter from Public Defender

COUNTY COMMISSIONERS
DICK SHELLENBERGER, Chairman
HOWARD "PETE SHAUB
MOLLY S. HENDERSON
COUNTY
OFFICE OF THE PUBLIC DEFENDER
29 EAST KING STREET
SECOND FLOOR, SUITE 213
PO BOX 83480
LANCASTER, PA 17608-3480
TELEPHONE 717-299-8131
JAMES J. KARL
Chief Public Defender
July 10, 2006
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Re: status of Public Defender representation in your 2 pending cases
Dear Mr. Caterbone:
You have 2 sets of criminal charges pending against you. First, there
are charges that were filed by the East Lampeter Township Police
Department. The charges included harassment, disorderly conduct, and
theft of services. You represented yourself at the preliminary
hearing before Judge Commins. The judge determined that there was a
prima facie case and bound over the charges to the Court of Common
Pleas. They are docketed to Information No. 2843-2006. The next court
proceeding is Arraignment on July 26, 2006, at 9:00 A.M. in Courtroom
A of

July 11, 2006


Tuesday
9:00 AM - 9:30 AM

Hotelliers Horst & Fairfiled File Suit

2 area hotels file lawsuit over room tax


Targets downtown project
Stan Caterbone

20

9/25/2006 10:16 AM

July 11, 2006 Continued


Tuesday
BY P.J. REILLY, Intelligencer Journal Staff
The owners of two Lancaster County hotels on Tuesday filed a lawsuit
claiming the county's hotel room tax is unconstitutional. Horst
Hotels Co., owner of Fairfield Inn by Marriott in Manheim Township,
and Ephrata Motel
Partners, owner of Holiday Inn in Denver, filed the suit in Lancaster
County Court. Named as defendants are the
Redevelopment Authority of City of Lancaster, Lancaster County
Convention Center Authority and Penn Square
Partners. Those three entities are behind plans to build a 300-room
Marriott Hotel and 220,000-square-foot convention center at the site
of the former Watt & Shand department store on Penn Square. Lancaster
County also is named as a defendant. The lawsuit asks that the 1999
county ordinance that established the tax be declared
unconstitutional. It also seeks a permanent injunction preventing the
county from enforcing the ordinance and asks t

6:00 PM - 6:30 PM

Website Hacked - Cannot Edit Site & Statistics Corrupted

Day

Hits
Files
Pages
Visits
Sites
KBytes
_____________________________________________________________________
______________________________
5
3 0. 03%
3 0
.04% 0
0.00%
0 0.0 0%
1
0.57%
19 0 .03%
6
0 0
.00%
0 0
.00% 0 0
.00%
0 0
.00%
0
0.00% 0 0 .00%
7
981 8 .31%
605
7.28% 138
19.80%
22
13.92% 251
4.29%
3759 6.20%
8
1191 10.0%
907
10.92%
120 17.22%
20
12.66% 21
12.00%
4889 8.06%
9
1544 13.08%
1372 16.51% 118
16.93%
45
28.48% 61
34.86%
4260 7.02%
10
5988
50.72%
3790 45.61% 184
26.40%
26
1
6.46% 31
17.71%
38389 63.27%
11
2093 17.73%
1627 19.58% 134
19.23%
42
26.58% 56
32.00%
9316
15.35%
12
7 0
.06%
5
0.06%
3 0
.43% 3
1
.90% 6
3.43%
46
0.08%

July 12, 2006


Wednesday
6:00 AM - 6:30 AM

Website Hacked - Locked Out

From :
<support@sitewebmasters.com>
Sent :
Wednesday, July 12, 2006 1:52 PM
To : amgroup01@msn.com
Subject :
Reply: Site Builder #741810
_____

======== CUT HERE =========


Your support request was answered:
Created: Jul 12, 2006 10:41:58 AM
Last Mod: Jul 12, 2006 10:48:42 AM
Assigned To:
SiteWebMastersAdmin(Site WebMasters Main Account)
Stan Caterbone

21

9/25/2006 10:16 AM

July 12, 2006 Continued


Wednesday

[Jul 12, 2006 10:52:48 AM]


A: It should be working now.

Please try again.

Thank you,
Blair Williams
------------------------------------------------------[Jul 12, 2006 10:41:58 AM]
Q: Locked out of site builder, said if using a Host, Contact Host.
Cannot Edit
Site.
------------------------------------------------------Thank you,
Blair Williams
SiteWebmasters - Tech Support
blair@sitewebmasters.com <http://by104fd.bay104.hotmail.msn.com/cgibin/compose?curmbox=9DB6E842-7C9B-474C-96A8-3BD12D6DC0EE&a=
91c684f035c549da9f063c3e905d2718523e00bd6df932c5190d148fb20211b0
&mailto=1&to=blair@sitewebm

8:00 AM - 8:30 AM
11:30 AM - 12:00 PM

Sheryl Today Show New York


Meeting - Lancaster Country Detective Landis - Hackers

Gave card to receptionsist, told her to tell him he needs specialist


for Hackers, per preveious complaint.
Convention Center Hearing waiting line of 12.

July 13, 2006


Thursday
All Day

Appeal PENN DOT Drivers License Suspension -- Lancaster County Courthouse, 50 N. Duke Street,
Lancaster, PA 17602

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
COUNTY OF LANCASTER
CRIMINAL DIVISION

COMMONWEALTH OF
PENNSYLVANIA:
001

WID 061879283707004
WID 061879283707016

001
CIVIL DIVISION
Vs.
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
717-430-8184

Stan Caterbone

22

9/25/2006 10:16 AM

July 13, 2006 Continued


Thursday
NOTICE OF APPEAL
On this day of July 13, 2006, the Plaintiff, Stanly J.
Caterbone, in the above Notice of Suspensions filed on mail date July
13, 2006 by the Commonwealth of Pennsylvania, Department of
Transportation, Bureau of Driver Licensing, is herby appealing this
decision in the Court of Common Pleas.
The Plaintiff will appeal this decision based on allegations of
retaliatory, political discrimination, and prosecutorial misconduct.
A Brief will be filed as soon as required by the Courts. Federal
Civil Actions 05-2288 and 06-1538 in the United States District Court
for the Eastern District of Pennsylvania, are taking precedent.
The Defendant will als

3:00 AM - 3:30 AM

Citzens Bank Extortion

amgroup01@msn.com Printed: Friday, July 14, 2006 8:08 AM


From :
Advanced Media Group <amgroup01@msn.com>
Sent :
Friday, July 14, 2006 4:41 AM
To : "Bargain Land " <shipping@bargainland.net>,
<danielberger@comcast.net>, "endofauction" <endofauction@ebay.com>,
"GGordon" <GGordon@fult.com>, "High Group" <nfo@high.net>, "Lancaster
County Commissioners " <McCueA@co.lancaster.pa.us>, "Lancaster
Intell" <IntellLetters@lnpnews.com>, "Lancaster New Era"
<neweraLetters@lnpnews.com>, "Mike Caterbone " <mtciidd@aol.com>,
"Owen Kugel " <owenrkugel@juno.com>, "Patrice Dixon "
<HSDuncan@juno.com>, "Patrick Snyder " <psnyder@uncb.com>, "Pete Horn
" <Rhino1818@aol.com>, "Phil " <caterbone@sbcglobal.net>, "Phyllis
Crews " <Phyllis.Crews@richardson.k12.tx.us>, "Ray Sawiski "
<rsawicki@decommunications.com>, "Stan Caterbone "
<amgauctions@comcast.net>, "Sunday Newspapers" <sunnews@lnpnews.com>
Subject :
Lancaster County Banks
Attachment :
AMGWelcomePageforjuly1420.pdf (0.08 MB)
The following

10:00 AM - 10:30 AM

Harleysville Insurance Inspection 220 Stone Hill Road -- Conestoga, PA 17516

See audio tape, went through and took pictures and note for
everything on list, added glasses, chain saw, wireless headset, itc.
McShea Associates, Inc.,
Insurance Adjusters
Suite 2A11
47 Marchwood Road
Exton, PA
19431
717-299-9395
610-524-9393
610-524-2413 fax

1:00 PM - 1:30 PM

MDJ Hamilton Firorill Appeal -- 50 N. Duke St, Lancaster, PA 17602

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
COUNTY OF LANCASTER
CRIMINAL DIVISION
Stan Caterbone

23

9/25/2006 10:16 AM

July 13, 2006 Continued


Thursday

COMMONWEALTH OF
PENNSYLVANIA:

TR-0001010-06
TR-0001011-06
CRIMINAL DIVISION

Vs.
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
717-430-8184

NOTICE OF APPEAL
On this day of July 13, 2006, the Defendant, Stanly J.
Caterbone in the above criminal cases is hereby filing an Appeal by
Trial De Novo in the Court of Common Pleas. The Defendant alleges
that prosecutorial misconduct, discrimination, and obstruction of due
process were committed.
The Defendant will also request that this case be in Forma
Pauperis.

Dated:
July 13, 2006
____________________________
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA
17516
717-431-8184

COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
LANCASTER COUNTY

CERTIFICATE OF SERVICE

Stanley J. Caterbone
Represented

Stan Caterbone

24

9/25/2006 10:16 AM

July 14, 2006


Friday
9:00 AM - 9:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

6:00 PM - 9:00 PM

Ashlee Simpson -- Hershey

9:30 PM - 10:00 PM

Sheryl at Trumps in Atlantic City -- Antlantic City, New Jersey

July 16, 2006


Sunday
6:00 PM - 6:30 PM

Stan Caterbone

Lynard Skynad & 3 Doors Down -- Hershey

25

9/25/2006 10:16 AM

July 17, 2006


Monday
9:00 PM - 9:30 PM

Sheryl on Larry King LIVE

July 19, 2006


Wednesday
9:00 AM - 9:30 AM

JOSEPH S. SOLOMON 1705 I@ FRONT ST HARISBURG. PA17102 255-1365

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: DAUPHIN
Map. DISI. No:
12-1-03
MDJ Name Hon
JOSEPH 8. SOLOMON
Add'ess 1705 I@ FRONT ST
HAIU(1SBURG. PA
STAH CATERBOME
220 STOME HILL 9.D
CONESTOGA, PA 17516
NOTICE OF TRIAL
SUMMARY CASE
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT. NAME and ADDRESS
TCATEBBONE, STAH 1
220 STONE HILL 9.D
CONESTOGA, PA 17516
L _I
Docket No.: TR-0005057-06
7Date Filed: 6/16/06
I I
This court has received your plea of NOT GUILTY to the above summary
violation(s). The sum of $ .OO has been accepted as collateral for
your appearance at trial Your trial has been scheduled as follows:
I1 II I(
You have the right to be represented by an attorney. You have the
right to have any witnesses present. It is your responsibility to
notify your attorney andlor witnesses of this trial date and time.
Date. 7/19/06
Time: 9:00 AM
Should you fail to appear for your trial, a warrant may be issued for
your arrest
Place: DISTRICT COURT 12-1-03
1705 N FRONT ST

July 20, 2006


Thursday
10:00 AM - 10:30 AM

MDJ Banllentine Comcast Civil Action -- 123 Locust Street,Lancaster,PA 17602 299-7974

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF LAMCASTER -Mag DlSt NO .02-2-01
MDJ Name Hon KELLY S. BALLENTINE,ESQ
123 LOCUST ST-REAR
LANCASTER, PA 17602
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
NOTICE OF CONTINUANCE
Stan Caterbone

26

9/25/2006 10:16 AM

July 20, 2006 Continued


Thursday
PLAINTIFF NAME and ADRESS
'CATERBONE, STANLEY J
220 STONE HIL ROAD
CONESTOGA, PA 17516
VS.
DEFENDANT NAME and ADDRESS
COMCAST CABLE, ET AL
Docket No.: CV-0000160-06
Date Filed: 4/27/06
Please note that the hearing in the above captioned case, wfli~hw as
scheduled to occur on: 6/15/06
has been continued to:
If you have any questions, please contact this office immediately.
Date 7 / 2 0 / 0 6 place DISTRICT COURT 0 2 - 2 - 0 1
Continuance requested by: COMCAST CABLE
TIme 10:OO AM
If you are disabled and require assistance, please contact the
Magisterial District office at the address above.
6 / 2 0 / 0 6 Date
My commission expires first Monday of January 2012
DATE PRINTED: 6/20/06 8:51:57 AM

July 23, 2006


Sunday
7:30 AM - 8:00 AM

Fox and Friends Post Truamatic Stress Syndrom with Dr...

July 24, 2006


Monday
All Day

Federal 05-2288 Fulton Bank Response Due

July 25, 2006


Tuesday
1:00 PM - 2:00 PM

PPL Electric Shut-Off -- 220 Stone Hill Road

July 26, 2006


Wednesday
9:00 AM - 9:30 AM

MDJ Comins East Lampeter Preliminary Hearing -- Lancaster County Courthouse

Another Calender Change by Hackers

July 27, 2006


Thursday
9:00 AM - 10:00 AM

Stan Caterbone

PPL Civil Action Filed -- Lancaster County Courthouse

27

9/25/2006 10:16 AM

July 28, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

9:00 AM - 9:30 AM
10:00 AM - 11:00 AM

MDJ Solomon Warrant of Arrest Fine Indegent Due


Filed Informa Pauperis for Southern Regional Police Appeal

to Superior Court

10:00 AM - 11:00 AM

Refiled Fulton Mortgage Judgement to Superior Court -- Lancaster County Courthouse

July 31, 2006


Monday
1:00 PM - 2:00 PM

Stan Caterbone

Emailed Jen from Tees Computer was hacked

28

9/25/2006 10:16 AM

August 01, 2006


Tuesday
9:00 AM - 10:00 AM

File East Lampeter Appeal Documents

10:00 AM - 11:00 AM

File Harleysville Civil Action

August 03, 2006


Thursday
8:00 PM - 9:00 PM

Barnstormers Game

Talke to Dick Shellenberger about Convention Center and Brunswick, he


said about Marylinn doing Watt and Shand and Meetina and Conference
Center at Brunswick, told hme about Intellectual property rights.

10:00 PM - 11:00 PM

Alley Kat Bar -- 28 W Lemon Street, Lancaster,PA 17603

Sheryl Look alike (Andrea-Allisa-? tall), Wickenheiser,Dino D. Jimmy,


Al Mongeou,McCaskey '84,

August 04, 2006


Friday
1:30 AM - 2:30 AM

Southern Regional Police -- Pine View Dairies

Notice car tailing me on New Danville Pike, put left turn signal on
to pull into Pine View Dairies, Police Lights went on after I started
to pull into parking lot. got out of car and put my hands in air and
said "take me in", they ordered me back into the van, and I locked
all doors. They wanted my drivers license, I said call the State
Police. Would not let them in, eventually busted out passenger side
window. Opened my door,and threw me to ground, handcuffed me and
emptied pockets. Kept asking why the pulled me over after I turned
into parking lot, would not respond. Put me into cruiser and let me
sit for about 20 or 30 minutes. Present was cramer, west lampeter
Eisenhowser, and two others. said my van would be towed, and took me
to SRPD presinct. gave me breathelyzer, passed .076 and .073. Went
through a bunch of bullshit, gave me a tape of my breathelyzer and
said I would get something in the mail. took me home to 220 stone
hill.

8:00 AM - 9:00 AM

Custom Classics` -- Stone Hill Road

Said no van, did not recieve any call from SRPD.

8:15 AM - 9:15 AM

Pine View Dairies -- New Danville pike

No van.

8:30 AM - 9:30 AM

Soutern Regional Police Department -- Conestoga

Busser said they called Custom Classics and van was there, I said he
was lying, and he went inot his you better settle down mode, I walked
out and said I was goint to the Lancaster County DA Office.

9:00 AM - 10:00 AM

Prothonetaries Office -- Lancaster County Courthouse

Asked for copies of all files from past 10 days.

Stan Caterbone

29

Sue, short hair.

9/25/2006 10:16 AM

August 04, 2006 Continued


Friday
9:15 AM - 10:15 AM

Conngerssman Joe Pitts Office -- Lancaster County Courthouse

Requested meeting with receptionist, said about DOD and CIA, as for
Federal Agencies, and told her to mail me the meeting schedule.

10:00 AM - 11:00 AM

District Justice Commins Office -- Leola

Asked if I had a Meeting, gave me a schedule for August 15

10:00 AM - 11:00 AM

Lancaster County Commissioners Office -- Lancaster County Courthouse

Scheduled meeting with Dick Shellenberger with secretary, she said


should be free in about 20 minutes, I said I would stop back

11:00 AM - 12:00 PM

District Justice Simms -- Walnut and Queen Strteets

Asked if I had a Hearing, said today at 3:00 for Lancaster City


Police Littering citation

3:00 PM - 7:00 PM

District Justice Simms Office

Lancaster City Police Jeurich wanted to meet before Hearing about


parking tickets, told him I would not, will do it at Hearing. Simms
told me that he tried to do me a favor, and they wanted $60 cash from
me, I said I did not have it, I cited IFP status, and Simms said you
have to be in Bankruptcy, i said i was and he said do you have any
papers with you, was yelling at me, I stood up and said I would go
home and get him some papers, said I was out of order and told
jeurich and Officer for Hearing to arrest me on Disorderly conduct.
Girl officer wenger took me to City Police station, gave me shit all
the way there, said i was a cop Hater, said I only hated corrupt
cops, would no believe anything I said. .....let me out without any
paperwork

3:00 PM - 3:30 PM

Hearing District M Simms Lanc City Police Littering 299-7966 -- 301 North Queen Street, Lancaster, PA
17603

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: m T m
02-2-04
MDJ Name: Hon
RICEARD H. Simms
Address: 301 U QUEEN ST
LAUCASTER, PA
STAMLEY J. CATERBONE
220 STONE HILL PI,
COmSTOQA, PA 17516
NOTICE OF TRIAL
SUMMARY CASE
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT: NAME and ADDRESS
STANLEY J. CATERBONE
220 STONE HILL BD
CONESTOGA, PA 17516
L J
Docket No. NT-0000598-06
Date Filed: 4/25/06
Charae(s):
18 86501 SSAl SCATTERING RUBBISH
I
Stan Caterbone

30

9/25/2006 10:16 AM

August 04, 2006 Continued


Friday
I
This court has received your plea of NOT GUILTY to the above summary
violation(s). The sum of $ -00
has been accepted as collateral for your appearance at trial.
Your trial has been scheduled as follows:
Should you fail to appear for your trial, a warrant may be issued for
your arrest.
Date: June 19,2006
Time: 3:OO PM
Failure to appear for your trial shall constitute consent to trial in
your absence and if you are found guilty, the collateral
deposited shall

August 08, 2006


Tuesday
1:30 PM - 2:15 PM

Jucicial Conduct Review Board -- Pennsylvania Place, Harrisburg, PA

Filed agianst Georgelis for Sothern Regional Informa Pauperis,


Hearing, taking case from Madenspacher, Dening without reason,
vacating denying and then granting appropval.

August 09, 2006


Wednesday
9:00 AM - 10:00 AM

IFP Hearing -- Lancaster County Courthouse

Sherrif would not let me sit at table, showed me a memo that said all
Pro Se Litigants were not allowed to approach tables untile Judge
enters courtroom, then changed mind. A man sat at opposite table,
and i asked who he was and he said he was Shawn Long, rep Fulton
Bank, and I asked what he was doing there, he said he was the
Plaintiff, I asked what proceeding this was, Sherrifs gave me a
bunch of shit, I gathered my laptop and files and walked out before
Judge entered and started whatever it was. Before exiting, I told
Sherrif I filed yesteday at the Judicial Conduct Bard.

August 11, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
Stan Caterbone

31

9/25/2006 10:16 AM

August 11, 2006 Continued


Friday
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

1:00 PM - 2:00 PM

Mike Sturla -- Outside Soverign on Duke Street

wanted meeting, said he was going on vacation next week.

August 14, 2006


Monday
5:00 PM - 5:30 PM
8:00 PM - 9:00 PM

Southern Regional Police Suit Amended Complaint Due


Lancaster Convention Authority Public Meeting -- Chamber of Commerce Building, Lancaster

Saw Chalie Smithgall going in, would not say much of anything, very
hostile. Talked to Kurt LydellL.....Irex, asked if he rented from
Dad, was very evassive, wou33 not say no, could not remember; talked
to Ted Darcus about Leonard B., and Big Five game, would not make a
commitment on Convention Center, said he would call me, gave card.
Talked to Jack Buchwalter and Caroline Steinman, asked about Paula's
Health, said could not remember who she was or if she ever worked at
LNP, Caroline daughter kept interupting; told Jack we need to meet
re: Fed 05-2288 and said I was going to amend and might add to civil
action, he told me to call him.
Mike Sturla, he scheduled meeting with me for 12:30 next day.
him last week he said was going on vacation all week.

told

August 15, 2006


Tuesday
12:30 PM - 1:30 PM

Meeting with Mike Sturla -- Griest Building, Lancaster Square

Receptionist was not very nice, very smart, said she grew up with
some Caterbone, knew Tut Arcudi, asked to sign petition, said she
would not, said other ways to change, did not think any changes need
to be done, Kept calling Mike, meeting was scheduled on her computer
Stan Caterbone

32

9/25/2006 10:16 AM

August 15, 2006 Continued


Tuesday
for time.
Mike - talked about painting, his construction company, downtown,
Academy of Music project; money for project, said it was closer, but
would not give firm commitment if project is a go; gave him my appeal
for Southern Regional Police and asked for some help, said he would.

2:00 PM - 3:00 PM

Nevin Cooley -- Walking Downtown on South Queen, at Griest

SAid working on project, and said it was closer.

Was in a rush.

August 16, 2006


Wednesday
8:00 AM - 9:00 AM

Gib Armstrong Office -- 144 Christian Street

Requested meeting, gave a copy of SRPD appeal to Superior Court,


talked to Bob Thompson for about 1/2 about Convention Center and
Media, secretary gave me a hard time about owner of Brunswick, and I
walked out, she said he was.......

11:00 AM - 12:00 PM

Got Notice at 11:15 for 11:00 Emergency PP& L Hearing -- Reading, PA

Recieved Notice from Judge Fehling for emergency Hearing for today,
in my mailbox at 11:15 when Hearing was for same day, Aug 16 2006.
Either Conestoga Post Office held the Notice, or Clerks mailed the
Notice late!

11:30 AM - 12:30 PM

Message ForAtty Gen Gonzales to Secret Service -- Host Farm Resort

Gave card to Bush Secret Service and told the to tell Atty General
Gonzales to call regarding Fed False Claims Act, ISC Whitleblowing
outside Host .
Told East Lampeter Policman to send all evidence to DA.

1:30 PM - 2:30 PM

Requested Meeting with Arlen Sepctor Office -- Fed Courthouse Harrisburg

told staffer to ask Arlen for a meeting.

2:00 PM - 3:00 PM

Said he would call back

FBI to see Fox -- FBI Office Harrisburg

Asked to see Agent Fox, who I met with in May, said no Agent by that
name.
Talked to another Agent, middle age balding, white shirt &
tie, 5'7' - told we have a problem, gave him a copy of Fed 05-2288
Motion for Continuence filed on Monday.

August 17, 2006


Thursday
9:30 AM - 10:00 AM

Meeder Meeting with John Meeder Excelsior Place -- Medder Office

18 to 20 million for block, mixed use. Vague, interested in talking to Ralph.


9:30 PM - 10:30 PM

Meeting with Ralph Mazzochi -- Ryder Avenue

talked about Excelsior Place, liked to do Gallo, talked about Mazzi,


said I would schedule a meeting with Hamid and Brunswick.

Stan Caterbone

33

9/25/2006 10:16 AM

August 17, 2006 Continued


Thursday
11:00 PM - 12:00 AM

Cathy Caterbone and Ralph -- Velentinos Cafe, Ryder Avenue, Lancaster

Cathy said, "now don't get mad, you are going to get mad - asked if I
was taking medicine, asked her why and she started to back track and
said vitamins, said how much weight I lost - talked to John, did not
say anything on Cathy cell phone, was not nice, took Cathy to Turkey
Hill and home, went in for a minute, saw Angel's daughter and Cathys
in living room on couches, Played some of Sheryls music on Ipod, told
her about Sheryl, she kept wanting to hug me, I made an excuse to
leave asap, invited me to some family reunion on Saturday, said she
did not have a date.

August 18, 2006


Friday
3:15 PM - 4:15 PM

Hearing MDJ Commins - 2 Girls walking -- Giest Road, Lancaster, PA

Fedor on Prosecution table; did not swear in first gilr, blonde, did
not live in Conestoga, kept lying, said went past her 5 times, and
was afraid from being out in the country, said I harrassed her, was
lying about where she was walking, frustrating to cross with all
lies; 2nd witness lied about the time, place and calling police, I
closed files, Judge kept lying about procedure, when Fedor got to
stand, asked to leave and go to bathroom, could not tolerate hearing
his lies, I would not testify, wastse of time. thought it was a
preliminary hearing, Judge would not give me time to prepare for
case, said it was a summary hearing, I only picked up file right
before Hearing started. Ruled Guilty.
Fedor stood guard at door, I asked her what he was
out to other side of door. Judge said she just got
wanted to hold a pre arraignment hearing, I said I
for the DUI from SRPD, I said I recieved no notice
for that day, I

doing, he stepped
paperwork, and
never heard of it,
of another hearing

August 21, 2006


Monday
10:00 AM - 11:00 AM

Visit Russell Pugh, Matt Samley, -- 120 N. Shippen Street,Lancaster

Heather Smith receptionist; ordered file from Matt Samley from 1998
legal opinion, and Tommy's bankruptcy and Estate file.
Russel Pugh, criminal defense solicitation; met for 1 hour free
consultation; said irregularity with DUI and under limit, said should
have been given sobriety test; unlawful arrest, questioned civil
action, wanted file, said defended Tabatha Buck, said Lambert did it,
told him about prosecutorial and affadavit, kept asking me what I had
to do with Lambert Hearing, kept telling him I signed and filed an
affadavit. said wanted to represent me, said he wanted money,
offered stock, said I would not pay a fee.
told him about whistle
blowers filing.

2:00 PM - 3:00 PM

Visit Hamid at Brunswick -- Brunswick Hotel, Lancaster,PA

Said he was on vacation for 10 days, did not get Ralph's stuff;said
he was only leasing space; N. Queen and Chestnut Streets 12.50/sq ft
(10,000), plus all utilities; kept telling me that Lancaster City was
revitalizing Lancaster Square; would not tell me who proposed the
project, said it was coming later, kept telling me "do you know Binns
Park", kept repeating; was very hostile this meeting, said space
above was for lease, 30,000 sq ft ; 2 movie theaters, said was
Stan Caterbone

34

9/25/2006 10:16 AM

August 21, 2006 Continued


Monday
interested but will not go back to him.

August 23, 2006


Wednesday
4:30 PM - 5:30 PM

Called PA Civil Rights Dept

Returned phone call to Mr. ...., he wanted me to summarize my


complaint, I said about Whistleblowers complaint, he kept trying to
get me to summarize, I told him I wasn't in private, he kept
pressuring me, I said I'll call next week, he got mad, and I said I
would talk to Rendell that evening, I told him to put something in
writing, he said complaint was too long and involved. I said Tuesday
at 3:00 pm I would call him back if I could get to a phone

6:00 PM - 7:00 PM

visit with Gov Ed Rendell at Campaign event -- Binns Park, Lancaster, PA

Interuppted him with a reporter and tape recorder as he left the


stage, he shook my hand,he said something about he did not have a
Civil Rights department, I said in the Attorney General Office, he
said something about an elected official. I left and went to sit
down, then got out a card and went back and gave it to him down
closer to Queen Street.

7:00 PM - 8:00 PM

Put Petion on Lois Herr's Table -- Binns Park

Put petition on table with other Democrats to get signatures, about


10 other petitions were there to sign, people were signing multipe
petitions. Ms. Oter... kept moving mine to back, I asked Mr Chapman
where I could get my petition the next day, everybody at table lied
about where the Democratic Office was. I stayed around table and Ms.
Connie...and another woman came up to me with my petition and I said
I was a registered Democrat, and I said here is my voter
registration, they got mad when I showed it to them, and kept trying
to harrass me, and told me they did not want to leave my petition for
signitures, I said fine and took it back with 2 signatures on it.
They kept harrassing me and I told them at least twice to stay away
from me and warned them they were harrassing me, then left and told
the 2 lancaster City Police Officers, and they belittled me and I
left.

August 24, 2006


Thursday
3:00 AM - 4:00 AM
3:30 AM - 4:30 AM

Getty Robbed complained to Lancasster City Police re 1250


Girl at 1250 Fremont stalking and harrassing

looked like she pretended to walk out of Billy P house,moved car so I


could park, got out of car and looked wiered; I drove to back to park
in alley, she followed me and pulled up behind me and got out of car
and kept approaching me and talking, I told her she doesn't belong
here, and she said she was looking for "Lefty her cousin" she kept
trying to get close to my door, I told her to leave and folloed her
down to Hershey avenue.

Stan Caterbone

35

9/25/2006 10:16 AM

August 24, 2006 Continued


Thursday
10:00 AM - 11:00 AM

Filed Notice of Defaults Harleysville and Mike -- Lancaster County Courthouse

August 25, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

6:00 AM - 7:00 AM

Payment for Website Due -- Webmasters online

2w

4:45 PM - 5:45 PM

Phone Call to PP&L Attorney M. Henry -- Ric Miller, Whetland Park Road, Lancaster, PA

Talked to Mr. Henry about scheduling conference via telephone as


instructed, said that Judge Fehling said I could reschedule hearing
at anytime, I said that is not what the Order said, he said the
transcript said that I could.
He told me to call PP&L about a repayment plan to get my electricity
Stan Caterbone

36

9/25/2006 10:16 AM

August 25, 2006 Continued


Friday
turned on, I asked him what he meant, he kept telling me I would have
to call PP&L, I said what do you do for yhour money, he said he was
a lawyer - I hung up phone. 3 Federal Judges, and at least 3 Orders,
and countless hours of legal time to tell me to call PP&L.

6:00 PM - 9:00 PM

Crosby,Stills,Nash,and Niel Young -- Hershey Stadium

Crosby, Stills, Nash & Young


Type of Event:
Concert
Show
Entertainment
Venue:
Hershey

HERSHEYPARK Stadium

Event Date(s):
8/25/06
Event Time(s):
8:00 PM
On-Sale Date:
5/8/06
On-Sale Time:
10:00 AM
Admission:
$176.00, $126.00, $76.00, $56.00 and $38.50
Processing fee applies
**8 Ticket Limit**
Parking fee applicable
Event Details:
The group will tour with no opening act, and the
show will spotlight an extended set from CSNY as in their previous
outings. The show will include their classic work together as well as
favorites from their storied individual careers.
CSNYs almost four-decade long musical connection is one of the most
influential and enduring collaborations in contemporary music. When
they first came together as a quartet in 1969, each member brought a
pedigree from another formidable bandCrosby from The Byrds, Nash
from The Hollies, and Stills and Young from Buffalo Springfieldand
their synergy together brought them to new hei

August 28, 2006


Monday
4:30 AM - 5:30 AM

Made Complaint 2 Lancaster City Police Cruisers -- alley behind ryder avenue

Told them for the 4th time about 1250 fremont street, told them that
a desk sergeant told me they were going to send someone over to talk
to me when I was in the station Sunday morning to complain about
people around house and stealing from 1250 Fremont Street
Heavy dose of chlorophorme in car, heavidest in a while, had to
vacate car in Turkey Hill parking lot at Columbia avenue and ryder
avenue.

August 29, 2006


Tuesday
8:15 AM - 9:15 AM

Weis Markets tried to rip me off again -- Manor Shopping center

overcharge for sausage, would not recognize red discount sticker that
said .94, was cut in half. ...Dunkel gave me it for free, went to
Customer Service counter for refund, and put sausage at end of
counter, I noticed that I did not have the sausage as I was about to
walk out, went back and got sausage,
Stan Caterbone

37

9/25/2006 10:16 AM

August 29, 2006 Continued


Tuesday
I have Weiss empolyees trying to overcharge me everytime at every
Weis Markets.

11:15 AM - 12:15 PM

Election Board Office -- N. Queen Street, Lancaster PA 17603

Met at reception area by McClane, wanted me to be 200th


signature,from Millersville, talked about representative gov v.
democracy; signed his and he signed mine, did not want to take card.
Went to deliver petition, asked for additional forms, I said someone
stole the file, gave me anoterh set; woman said you need 200
signatures, I said I had people trying to interfere with me getting
signatures, 2 women said we better... and went to get another woman.
Woman said you need 200 I said can't I file a complaint? she said
well you could put something in writing, looked suspicious, I left
petition on counter and said I have to make a phone call and left.

3:00 PM - 4:00 PM

Call Civil Rights Dept Investigator in Harrisburg -- PA Attorney general's Office

August 30, 2006


Wednesday
6:00 PM - 7:00 PM

Drivers License Siezed by Millersville Boro Sieze License

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Stanley J. Caterbone
Advanced Media Group
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania
:
V.

Civil Action No. ________

:
:

Millersville Borough Police Department


Michael K. Schaefer
10 Colonial Avenue
Millersville, PA 17551
:
STATE OF PENNSYLVANIA

:
:

COUNTY OF LANCASTER

Stan Caterbone

: ss

38

9/25/2006 10:16 AM

August 30, 2006 Continued


Wednesday
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION
COMPLAINT
1.
On or about August 30th 2006, at approximately 6:00 pm; the Defendant pulled the
Plaintiff over on Wabank Road, Lancaster, Pa; which was out of the jurisdiction of the
Millersville Borough Police Department. The Plaintiffs 2005 Honda Odyssey was
approximately 165 yards from the 35 mph speed limit sign on the west side of Wabank Road
at the north end of the Brenners Quarry lot.
2.
The Defendant was directly behind the Plaintiff at the intersection of Cottage Avenue
and Millersville Road; stopped at the red light.
3.

The Defendant illegally detained the Plaintiff and his vehicle.

4.
The Defendant illegally Seized the Pennsylvania Drivers License 18195782 and
Vehicle Registration Card; and did so knowing that the Plaintiff provided proof of Appeal
currently in Commonwealth Court.
5.
The Defendant failed to acknowledge any explanation or statement that would have
prevented the seizure.
6.
The Plaintiff filed an appeal to Superior Court and received a Notice from Penn DOT
providing instructions for the Appeal process, which automatically vacates the previous
suspension the Plaintiffs Drivers License.
7.
The Defendant illegally seized the Plaintiffs vehicle and turned it over to the
jurisdiction and possession of the St. Denis Towing Company, of Mount Joy, Pa.
8.
The Defendant totally took all access to the Federal, State, and Local courts and took
away the Plaintiffs right to due and fair process by illegally taking away his only means of
transportation.
9.
The Defendant took the Plaintiffs access to his mail at his residence at 220 Stone Hill
Road, Conestoga, PA 17516.
10.
The Defendant interfered with the Plaintiffs Business Operations and Contracts and
literally brought the activities to a standstill.
11.
On or about April 21, 2006, the Plaintiff filed a stolen item report ($743.00 Cash) to
the Defendant stating the following: I am hereby formally and officially requesting a copy of the
above incident report concerning stolen case for my current litigation with Lancaster General
Hospital (Docket No. CI-06-03401) and Southern Regional Police Department (Docket No.
CI-06-03401) both in the Commonwealth Court of Common Pleas.
12.
The Defendants actions can be seen as retaliatory in nature and an affirmation of the
Defendants support for the Corrupt activities and Harassment of Officer Busser of the
Southern Regional Police Department.

Stan Caterbone

39

9/25/2006 10:16 AM

August 30, 2006 Continued


Wednesday
Dated: September 1, 2006
__/s/ Stanley J. Caterbone________
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

CERTIFICATE OF SERVICE

Stanley J. Caterbone, Pro Se


Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/
Service To:
Millersville Borough Police Department
Michael K. Schaefer
10 Colonial Avenue
Millersville, PA 17551

Certificates of Service were sent by United States 1st Class Mail on September 1, 2006.
By, __/s/ Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/
Stan Caterbone

40

9/25/2006 10:16 AM

August 30, 2006 Continued


Wednesday
IN FORMA PAUPERIS

1. I am the plaintiff in the above matter and because of my financial condition am unable to
pay the fees and costs of prosecuting or defending the action or proceeding.
2. I am unable to obtain funds from anyone, including my family and associates, to pay the
costs Litigation.
3. 1 represent that the information below relating to my ability to pay the fees and costs is true
and correct:
(a) Name:
Stanley J. Caterbone
Address:
220 Stone Hill Road, Conestoga, PA 17516
Social Security Number: 200-46-0959
(b) Employment

If you are presently employed, state

Employer:

Advanced Media Group

Address:

220 Stone Hill Road, Conestoga, PA 17516

Salary or wages per month: $0.00 Currently in Litigation See Notes


Type of work:
If you are presently unemployed. state
Date of last employment:
(c) Other income within the past twelve months Relationship:
Business or profession: Advanced Media Group has no income at this time
See Bankruptcy Petition 05-23059, U.S. District Court For The Eastern District of
Pennsylvania Civil Actions 05-2288 and 06-1538
Other self-employment:
Interest:
Dividends:
Pensions and Annuities:
Social Security benefits:
Support payments:
Disability payments:
Unemployment compensation and supplemental
benefits:
Workman's compensation:
Public assistance:
Food Stamps approx $155.00
Other:
(d)
Other Contributions to household support
(Wife)(Husband) Name: ______________________
If your (wife)(husband) is employed, state
Employer:
Salary or wages per month:
Type of work:
Contributions from children:
Contributions from parents:
Othcr contributions:
(e)- Property owned:
Cash:
Checking Account:
Stan Caterbone

$.00
$-445.00
41

9/25/2006 10:16 AM

August 30, 2006 Continued


Wednesday
Savings Account:
Certificate of Deposit
Real estate (including home):
Motor vehicle
Make :
Cost :

$155,000.000
Dodge Pick Up , Year 1991
-,
$2700.00
Amount Owed $ 0.00

Stocks; bonds: 9996,000 shares Advanced Media Group Non Marketable Securities These
shares are subject to litigation in the United States District Court for the Eastern District of
Pennsylvania Civil Action 05-2288, there is no tangible value to the Plaintiff until this case is
completely adjucated
Other:
(f) Debts and obligations
Mortgage:
$89,000
Rent:
Loans: Credit Cards - $40,000 Yolanda Caterbone - $30,000
Other:
$5,000.00 current accounts payable
(g) Persons dependent upon you for support
(Wife)(Husband) Name:
Children, if any:
Name:
Age:
Date of last employment:
Salary or wages per month: Other persons:
Type of work: Name:
4. I understand that I have a continuing obligation to inform the court of improvement in my
financial circumstances which would permit me to pay the costs incurred herein.
5. I verify that the statements made in this affidavit are true and correct. I understand that false
statements herein are made subject to the penalties of 18 Pa:C.S. , relating to unsworn
falsification to authorities.
Date: ________________________

_/s/ Stanley J. Caterbone


Petitioner

(i) The Praecipe required by subdivision (d) shall be substantially in the following form:

PRAECIPE TO PROCEED IN FORMA PAUPERIS

To the Prothonotary:
Kindly allow , Stanley J. Caterbone (Plaintiff), to proceed in forma pauperis.
(i) I, Stanley J. Caterbone, attorney for the party proceeding in forma pauperis, certify that I
believe the party is unable to pay the costs and that I am providing free legal service to the
party.
(j) If, simultaneous with the commencement of an action or proceeding or the taking of an
appeal, a party has filed a petition for leave to proceed in forma pauperis, the court prior to
acting upon the petition may dismiss the action, proceeding or appeal if the allegations of
Stan Caterbone

42

9/25/2006 10:16 AM

August 30, 2006 Continued


Wednesday
poverty is untrue or if it is satisfied that the action proceeding or appeal is frivolous.

Dated: September 1, 2006


By, __/s/ Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
http://www.amgglobalentertainmentgroup.com/
mailto:amgroup01@msn.com

August 31, 2006


Thursday
9:00 AM - 10:00 AM

Chapter 11 Transcript Hearing -- Reading, PA

9:00 AM - 10:00 AM

Chapter 11 Transcript Hearing -- Reading, PA

September 01, 2006


Friday
9:00 AM - 10:00 AM

Chapter 11 Brief Due for U.S. Trustee Conversion Motion

12:00 PM - 1:00 PM

Sheryl red

September 02, 2006


Saturday
5:00 PM - 5:30 PM

Pat Dixon, Ana Gianapolis and 2 others -- Cafe next to Manor Cinemas

Gave 4 to project hope, talked about Pat's dilema, asked if I was going to support her and
SDL???

September 06, 2006


Wednesday
All Day

Stan Caterbone

Fdfvdcsdf xdxdFBVSC

43

9/25/2006 10:16 AM

September 07, 2006


Thursday
9:00 AM - 10:00 AM

Hearing - MDJ Commins SRPD DUI

September 08, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

September 09, 2006


Saturday
3:00 PM - 3:30 PM

Ben Roda Visit -- 93 Pilgrim Drive, Millersville, PA 17551

Advanced Media Group


Stanley J. Caterbone.

PRAECIPE

vs.
Stan Caterbone

44

9/25/2006 10:16 AM

September 09, 2006 Continued


Saturday

Mr. Benjamin Roda, In the Court of Common Pleas of Lancaster County


September 11, 2006

No
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Advanced Media Group


Stanley J. Caterbone
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania
:
:
V.

CIVIL ACTION NO.

:
Mr. Benjamin Roda
63 Pilgrim Drive
Millersville, PA 17551
717-842-6341
:
:
STATE OF PENNSYLVANIA

:
:

COUNTY OF LANCASTER

: ss

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Stan Caterbone

45

9/25/2006 10:16 AM

September 09, 2006 Continued


Saturday
COMPLAINT
1.
On September 9, 2006 at approximately 3:07pm Plaintiff did enter the residence of the
Defendant for a cordial and friendly visit. The Defendants brother, Mr. Dominick Roda,
suggested it on September 7th, that the Plaintiff stop by for a visit.
2.
During that visit the Defendant did engage in slandering, defaming, and libeling the
Plaintiff on several occasions.
3.
The Defendant accused the Plaintiff of extorting approximately $4,700.00 from
Yolanda Caterbone by stating that the Judgment that the Plaintiff was awarded for
construction services (1250 Fremont Street, Lancaster, Pennsylvania) was done through
fraudulent means. The Defendant declared that the Plaintiff performed such services without
the permission or consent of the owner of, Yolanda Caterbone. That is completely and utterly
false.
4.
A District Court awarded judgment in a Civil Action (CV-0000207-05) where that
argument was never even raised by Yolanda Caterbone or any of her representatives. It took
the Plaintiff approximately 16 months and the threat of executing on a lien on the property
(1250 Fremont Street, Lancaster, Pennsylvania) to collect the judgment award.
5.
The Defendant also declared that it was now the Plaintiffs responsibility to provide
elderly care for the Plaintiffs Mother, Yolanda Caterbone (the Defendants sister), contributing
to nothing less than psychological harassment and mental duress. Yolanda Caterbone has
been residing in Florida since November of 2004.
6.
The Defendant also declared and emphatically stated that everyone lies to you
because you are sick, thus suggesting and declaring that the Plaintiff is suffering from mental
illness. The Plaintiff interpreted everyone to mean all of the law enforcement officers that
fabricated the criminal charges now pending before the Commonwealth of Pennsylvania.
7.
The Defendant alleged that the seizure of the Plaintiffs drivers license was both lawful
and deserving and disputed the Plaintiffs declaration of prosecutorial misconduct associated
with the citations used to suspend the Plaintiffs drivers license
(.TR-0001010-06;TR-0001011-06 filed by Southern Regional Police Chief Fiorill and the
Appeal by Trial de Novo filed on July 13 in the Court of Common Pleas).
8.
The Defendant has had no personal contact with the Plaintiff since the spring of 2005,
and such a declaring statement was only meant to discredit the Plaintiff and the Plaintiffs civil
actions against Fulton Bank. (United States District Court for the Eastern District of
Pennsylvania CA-1535;05-2288;06-3399;05-3689, United States Bankruptcy Court 05-23059,
Commonwealth Court of Common Pleas 06-02271).
9.
The Defendants son, Mr. Craig Roda, is the President of Fulton Bank, and the
Defendants son-in-law, Mr. Phillip Wenger, is the President of Fulton Financial Corporation, of
Lancaster, Pennsylvania.
10.
In the spring of 2005, again at the residence of the Defendant, the Defendant also
engaged in a hostile conversation with accusations that the issues raised in the Plaintiffs civil
actions against Fulton Bank were directly related to the actions of Mr. Craig Roda. The
Defendant also denied his son, Mr. Craig Roda, never made the hostile and harassing
telephone call in February of 2005, immediately following a meeting with the then President of
Fulton Bank, Mr. Phillip Wenger. The meeting was arranged by Mr. Smith, then Chairman and
CEO of Fulton Financial Corporation for the purpose of resolving the Plaintiffs allegation later
raised as causes of actions in the civil actions that were later filed.
11.
At that time of the preceding, the Plaintiff had not filed any civil actions in any courts
against Fulton Bank. The first civil action against Fulton Bank was not filed until May 16, 2005
Stan Caterbone

46

9/25/2006 10:16 AM

September 09, 2006 Continued


Saturday
in the United States District Court for the Eastern District of Pennsylvania.

12.
The Plaintiff seeks to have the courts place a cease and desist order against the
Defendant and the Defendants family from engaging in such damaging accusations.

Dated: September 11, 2006


__/s/ Stanley J. Caterbone________
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

CERTIFICATE OF SERVICE

Stanley J. Caterbone, Pro Se


Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/
Service To:
Mr. Benjamin Roda
63 Pilgrim Drive
Millersville, PA 17551
717-842-6341

Certificates of Service were sent by United States 1st Class Mail on September 11, 2006.
By, __/s/ Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Stan Caterbone

47

9/25/2006 10:16 AM

September 09, 2006 Continued


Saturday
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/
IN FORMA PAUPERIS
Petition and Affidavit of Financial Status
(Pennsylvania Rules of Procedure Rule 240)

1. I am the plaintiff in the above matter and because of my financial condition am unable to
pay the fees and costs of prosecuting or defending the action or proceeding.
2. I am unable to obtain funds from anyone, including my family and associates, to pay the
costs Litigation.
3. 1 represent that the information below relating to my ability to pay the fees and costs is true
and correct:
(a) Name:
Stanley J. Caterbone
Address:
220 Stone Hill Road
Social Security Number:
200-46-0959
(b) Employment
Employer:
Address:

If you are presently employed, state:


Advanced Media Group, Owner
220 Stone Hill Road, Conestoga, PA 17516

Salary or wages per month: $0.00 Currently in Litigation See Notes


Type of work:
If you are presently unemployed. state
Date of last employment:
(c) Other income within the past twelve months Relationship:
Business or profession: Advanced Media Group has no income at this time
See Bankruptcy Petition 05-23059, U.S. District Court For The Eastern District of
Pennsylvania Civil Actions 05-2288 and 06-1538
Other self-employment:
Interest:
Dividends:
Pensions and Annuities:
Social Security benefits:
Support payments:
Disability payments:
Unemployment compensation and supplemental
benefits:
Workman's compensation:
Public assistance: Food Stamps approximately $154.00 per month
Other:
(d)
Other Contributions to household support
(Wife)(Husband) Name: ______________________
If your (wife)(husband) is employed, state
Employer:
Salary or wages per month:
Stan Caterbone

48

9/25/2006 10:16 AM

September 09, 2006 Continued


Saturday
Type of work:
Contributions from children:
Contributions from parents:
Other contributions:
(e)- Property owned:
Cash:
$0.01
Checking Account: $-301.00 $-74.00
Savings Account: $0.00
Certificate of Deposit
$0.00
Real estate (including home):
Motor vehicle

$165,000.000
Make: Dodge Pick Up , Year: 1991
Cost:
$2,700.00
Amount Owed $ 0.00

Stocks; bonds: 9996,000 shares Advanced Media Group non marketable securities these
shares are subject to litigation in the united states district court for the eastern district of
Pennsylvania civil action 05-2288, there is no tangible value to the plaintiff until this case is
completely adjucated.
Other:
(f) Debts and obligations
Mortgage:
Rent:
Loans: Credit Cards Other:

$97,000
$40,000 Yolanda Caterbone - $25,000
$3,000.00 current accounts payable

(g) Persons dependent upon you for support


(Wife)(Husband) Name:
Children, if any:
Name:
Age:
Date of last employment:
Salary or wages per month: Other persons:
Type of work: Name:
4. I understand that I have a continuing obligation to inform the court of improvement in my
financial circumstances, which would permit me to pay the costs incurred herein.
5. I verify that the statements made in this affidavit are true and correct. I understand that false
statements herein are made subject to the penalties of 18 Pa:C.S. , relating to unsworn
falsification to authorities.
Date: September 11, 2005

_________/sjc/__________________
Petitioner
(i) The Praecipe required by subdivision (d) shall be substantially in the following form:
PRAECIPE TO PROCEED IN FORMA PAUPERIS

To the Prothonotary:
Kindly allow , Stanley J. Caterbone,

(Plaintiff), to proceed in forma pauperis.

I, Stanley J. Caterbone, Pro Se Litigant, attorney for the party proceeding in forma pauperis,
certify that I believe the party is unable to pay the costs and that I am providing free legal
service to the party.
Stan Caterbone

49

9/25/2006 10:16 AM

September 09, 2006 Continued


Saturday
(j) If, simultaneous with the commencement of an action or proceeding or the taking of an
appeal, a party has filed a petition for leave to proceed in forma pauperis, the court prior to
acting upon the petition may dismiss the action, proceeding or appeal if the allegations of
poverty is untrue or if it is satisfied that the action proceeding or appeal is frivolous.

________/sjc/_____________________
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184
717-427-1621 Facsimile
amgroup01@msn.com
www.amgglobalentertainmentgroup.com

IN THE COURT OF COMMON PLEAS


OF LANCASTER COUNTY, PENNSYLVANIA

On this day of ______________________, 2006 upon consideration of the attached Petition


and Affidavit of Financial Status, it is hereby Ordered that the Petitioner, Stanley J. Caterbone,
IS permitted to proceed with the filing of his/her action or appeal In Forma Pauperis, and shall
not be required to pay the costs or fees payable in connection with such matter, but
conditioned upon his/her payment of such costs from the proceeds of an financial recovery in
this case.
BY THE COURT:

September 15, 2006


Friday
9:00 AM - 10:00 AM

Stan Caterbone

Chapter 11 - Extension for Brief Due

50

9/25/2006 10:16 AM

September 21, 2006


Thursday
9:00 AM - 10:00 AM

MDJ Simms Disorderly Conduct -- 913 Elm Avenue

Simms could not take it that I knew the law and called him out on it
about the In Forma pauperis and he was wrong, so he pulled one of his
arrogant tricks and sent me to the Lancaster County Prison on August
11 for 4 hours.

1:00 PM - 2:00 PM

Project Hope Video Meeting with Penn Ketchum of MHMR -- MHMR Office 120 S. Queen Streets,
Lancaster

Already sent video

September 22, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

Stan Caterbone

51

9/25/2006 10:16 AM

September 28, 2006


Thursday
9:00 AM - 9:30 AM

MDJ Smith Payment Due HIA Parking Ticket $67.50

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


MAG. DIST. JUDGE: MI- J SMITH
1281 S 28TE ST
HARISBURG, PA 17111
MAGISTERIAL DISTRICT NO.: 12 -2 - 01
1717) WR-1160
COSTS $
OTHER $
TOTAL $
6/a8/06
(Date) (Defendant)
PA 17516
(~es~denc~ed dress) (Business adam)
(rel~nm~eu maer) (relephooe Num&r)
A hearing was held pursuant to Pa. R. Crim. P.456 on- 6/28/06 , to
determine the ability of , defendant, to pay the sentence of fines,
costs, and restitution imposed on 6/28/06 in the following: 1.
Finding of CRIMINAL CONTEMPT pursuant to 42 Pa.C.S. 4137.
privileges for Violation of Title 75 Moving Violations. 3. Referral
to a private collection I am financially able to pay the fines,
costs, or restitution imposed. .
/ 2 f;. ?,:;,>) , , , , , p ; .,s
PAYMENT SCHEDULE: < .. '
(Signature)
Date Amount Date Amount
09/28/06 $67.50
TOTAL: $67.50
AOPC 416A-05 DATE PRIMTED: 6/28/06 2:55:17 PH

September 30, 2006


Saturday
12:00 PM - 12:30 PM

Farm Aid To Bring Music, Put Spotlight On Good Food Movement Of Delaware River Valley

07/06/2006: Farm Aid 2006 Announced - Camden NJ / Philadelphia PA!


Farm Aid To Bring Music, Put Spotlight On Good Food Movement Of
Delaware River Valley - Willie Nelson, Neil Young, John Mellencamp
and Dave Matthews to Headline Sept. 30 Concert
PHILADELPHIAFarm Aid co-founder Neil Young today announced that
the nation's leading family farm advocacy organization will bring its
annual benefit concert to The Tweeter Center on the Waterfront in
Camden, New Jersey.
Farm Aid 2006 will urge Americans to choose food from family farms,
creating growing opportunities for more family farmers. Artists at
the 2006 concert will show support for activities that keep family
farmers on the land. Farm Aid's fundraising concert is scheduled to
take place on Saturday, Sept. 30 and will feature headliners Willie
Nelson, Neil Young, John Mellencamp and Dave Matthews, plus other top
artists to be announced later.
Tickets for Farm Aid 2006 are on sale July 22 at 10 a.m. EDT and are
availabl

Stan Caterbone

52

9/25/2006 10:16 AM

July 10, 2005


Sunday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

July 15, 2005


Friday
All Day

Stan Caterbone's Birthday

July 18, 2005


Monday
7:00 PM - 8:00 PM

John Couger/John Fogerty -- Hershey Stadium

July 19, 2005


Tuesday
12:00 PM - 1:00 PM

Discover Credit Card

called to renew and told them of filings.

2:00 PM - 3:00 PM

Did not believe me.

Department of Justice -- Philadelphia

Called to ask about payment of fee and management reports. Talked to


Dave Adams. Again, would not answer question and was a smart-ass on
the phone. Called him an asshole.

July 20, 2005


Wednesday
1:00 PM - 2:00 PM

Fax to Department of Justice -- Philadelphia

Sent page from 1998 Affidavit calling on courts not to use technical
deficiencies in filings as being a impungement on the constitution
with specific regards to RICO statutes and obstruction of justice.

1:00 PM - 2:00 PM

MBNA AAA Credit Card

they called for payment, told them of notice and filings, with
jurisdiction problems.

6:30 PM - 7:30 PM

3 Doors Down/Stand -- Hershey Giant Center

9:00 PM - 10:00 PM

CALL TO FBI PITTS OFFICE 2:00AM NS ISSUES

July 21, 2005


Thursday
8:00 AM - 9:00 AM

LONDON BOMB BLASTS 4 LOCALS

9:00 AM - 10:00 AM

Honda Payment Due

5:00 PM - 6:00 PM

Haccker - Destop Conestoga Police -- 220

Officer Cramer at house to report hack to desktop - no budget to


follow up. Gave him warning to watch out and brush up on terroism.
Told him about FBI call on Thurs am.
Stan Caterbone

9/25/2006 10:13 AM

July 21, 2005 Continued


Thursday
8:00 PM - 9:00 PM

Cingular -- Cingular - Park City

would not connect data line.

9:00 PM - 10:00 PM

depart for scac to Austin Dell

July 22, 2005


Friday
2:00 AM - 3:00 AM

Dept of Justice -- Philadelphia office

"We got a big problem"

2:00 AM - 3:00 AM

FBI National Security -- FBI Pittsburg

called FBI "national security - Iraq"

2:00 AM - 3:00 AM

G. Dempsey -- Las Vegas

To sheryl, france. cm

8:30 AM - 9:30 AM

London - 4 Bombings -- Warren-Shepards Bush....

4 Coordinated bombs

July 23, 2005


Saturday
3:00 AM - 4:00 AM

kennett -- scac- pool

July 25, 2005


Monday
10:00 AM - 11:00 AM

filed brief -- kennett, MO

via usps kennett, mo, filed brief for chapeter 11 to phil and reading

July 26, 2005


Tuesday
6:00 PM - 7:00 PM

arrive in Austin

July 27, 2005


Wednesday
1:00 PM - 2:00 PM

Army Intelligence Interview -- Austin National Reserve Base

Interviewed by Army Intell. Wanted to see docs, and interest about


sc. Looked at DP docs. Wanted to know who I was. Wanted to know
who I took orders from and how I communicated with Intel. Said
everything is fine.

8:00 PM - 9:00 PM

Stan Caterbone

Bowling for dollars -- Chamelion

9/25/2006 10:13 AM

July 28, 2005


Thursday
1:45 PM - 2:45 PM

Dell, Inc. -- Dell City, Autsint, TX Buildings 5 and 1

After 1 hour in lobby, V. Fequirio, or whoever, called lobby and


verified and confirmed activitey as planned. Talked to Wackenhut
about proposal back in 1990.

July 29, 2005


Friday
12:00 PM - 1:00 PM

Clipper Stadium - Joe Pinto -- Texas

Returned call to Joe Pinto about concert venues for Clipper. Will
send sample contract and said would like more concerts. Said no
other promotors are interested with any more concerts at this time.
Randy Patterson said that the County Redevelpment Auth gives all
management to Joe Pinto for concerts.

July 30, 2005


Saturday
9:00 AM - 10:00 AM

Chapter 11 Brief due to Judge Anita Brody - Phil Fed Court

July 31, 2005


Sunday
11:00 AM - 12:00 PM

Files broken into at MGM Grand Las Vegas -- Las Vegas

Report filed by MGM Risk Management Security Division. Marine Corp


officer very hostile and upset. See Report number 1N20050005628

8:00 PM - 9:00 PM

Arrive Santa Monica -- Santa Monica

August 01, 2005


Monday
12:00 PM - 1:00 PM
4:00 PM - 5:00 PM

glasses arrive at wallmart in kennett mo


Sammy -- Public Administrator-Conservator-Santa Barbara

Meeting with Dwight Faulding, Deputy, Public Adm-Conservator.:


Acknowledged that there was a problem. 2 people murdered right after
Sammy's death. "House" was torn down, no longer exists because of
problems. Said " I understand how you feel, no one in this office
was here then, I do not know where to get information or files", it
does sound like it was not a suicide".

6:00 PM - 7:00 PM

Antenna Stolen for Laptop wireless pcma card -- State Street, Santa Barbara

Not able to connect to internet, guy walked by while eating and kept
pointing to antenna. Was taken or hidden while eating.

August 02, 2005


Tuesday
8:00 AM - 9:00 AM

Stan Caterbone

Sheryl's "Good Is Good" Video Released

9/25/2006 10:13 AM

August 02, 2005 Continued


Tuesday
11:00 AM - 12:00 PM

Amber -- Santa Barbara

Took Amber to Dentist, to Emergency Room, then to Shelter.

9:00 PM - 10:00 PM

Pismo Beach

August 03, 2005


Wednesday
10:00 AM - 11:00 AM

Steve Auslender Real Estate Meeting -- 733 Santa Isabelle Drive, Los Oslos, CA

2683 Rodman Drive

12:00 PM - 1:00 PM

Molly Henderson -- Lancaster County Commissioners

Talked to Molly.
1. Said I already picked up Huner Proposal. Said she would mail it.
2. Has alternatives for Watt & Shand and Convention Center, said she
did not like the private finanacing of project and that Convention
Center would fail.

9:00 PM - 10:00 PM

los Oslos Sherrifs Confrontation -- Los Osos, Ca

2 Los Osos Sheriffs pulle me over for no reason and did the usual
harrasment and breathilyzer routine, of course the results were 0.0
blood alchohol. Frisked me for weapons, got mad that I talked about
the Intell Community and what I did. More less told me to move along
and leave the town.
FAT CHANCE!

August 06, 2005


Saturday
9:00 PM - 10:00 PM

ASSUALTED IN HARRY'S BAR - PISMO BEACH -- Pismo Beach Case Police Case No. 051653

Officer Jeremy Douglas and Mike Hunter. White Male, 5'8", white
shirt & blue jeans. Playing pool, and just started shoving me trying
to provoke me to fight. Did nothing, grabed me by the throat and
shoved my head against the mirror. Asked the bounder behind the bar
to do something, and he did nothing. Asked the bouncer at the door
if he was going to do something, he said "just go home". Went to
car, and pulled up outside bar and talked to another bouncer, asked
him why if he was going to do something, he said no. Drove directly
to police station and called 911 enroute.
See JT Krumholz from Bully's in SLB at Bully's bar.

Connection?????

August 07, 2005


Sunday
7:00 PM - 8:00 PM

Destiny's Child -- Star Pavillion

August 08, 2005


Monday
3:00 PM - 4:00 PM

Stan Caterbone

Wells Chiropractic -- Message Therapy

9/25/2006 10:13 AM

August 08, 2005 Continued


Monday
7:30 PM - 8:30 PM

Kelly Clarkson -- Giant Center

August 09, 2005


Tuesday
10:30 AM - 11:30 AM

Wells Chiropractor -- Message Therapy

6:00 PM - 7:00 PM

Sycamore Springs Hot Tub -- Avia Beach

August 10, 2005


Wednesday
6:00 AM - 7:00 AM

Weldon on Fox -- Avila Beach

Finally learned of Weldon's intell report.

9:00 AM - 10:00 AM

Honda Grace Period Payment Due

7:00 PM - 8:00 PM

barbershop girls -- Clipper Stadium

Inbelievablel.

August 12, 2005


Friday
11:00 AM - 12:00 PM

Arlene Davidson Conversation -- Beverly Hills, CA

Talked to Arlene Davidson of Flatbush Films for about 15 minutes.


Confusing Conversation.

1:00 PM - 2:00 PM

Marcia Silen -- Beverly Hills

Finally talked to Marcia, my Hollywood partner, after all these


years.

8:00 PM - 9:00 PM

Gamillion Studios -- Hollywood, CA

Revisit Ted's old film studio.


and is a showcase!

The property is totallly revitalized

August 13, 2005


Saturday
1:00 PM - 2:00 PM

Border Patrol -- Santa Monica Pier Lunch

discussion

3:00 PM - 4:00 PM

Border Patrol Arrest -- Santa Monica Pier

Fruit Vendor arrested, no license.

Police let him go.

no papers.

August 15, 2005


Monday
9:00 AM - 10:00 AM

Stan Caterbone

Defendat Brief due, Phil Fed Court

9/25/2006 10:13 AM

August 16, 2005


Tuesday
10:00 AM - 11:00 AM

Did you write the article about...2 feline's? in 97-8

August 18, 2005


Thursday
7:00 AM - 8:00 AM

Sheryl - 95.5 'PLJ

6:00 PM - 7:00 PM

tobey Kieth -- Hershy Stadium

August 19, 2005


Friday
9:00 PM - 10:00 PM

Meeting with Joe Pinto -- Barnstormers game

Wants to develop a summer concert series with the rest of the league.
Would be a nice 10-12 week schedule if the rest of the league
participated. Needs to address staging and financing costs.
Suggested researching a bonding or similar financing vehicle for
attracting shows and securing schedules.

August 21, 2005


Sunday
9:00 AM - 10:00 AM

Honda Payment Due

August 25, 2005


Thursday
5:00 PM - 6:00 PM

Creative Zen mp3 player report -- WagonWheel Restuarant

Reported to Conestoga Police Officer that the Creative Zen Micro mp3
player was tampered with and the player frozen with no way of
restoring it. Said he would make a report, although he did not take
any real information or write anything down.

August 26, 2005


Friday
8:00 AM - 9:00 AM

Avril - CBS Good Morning America

August 30, 2005


Tuesday
10:00 AM - 11:00 AM

Craig Amhous -- Clipper Stadium

719-492-2745

1:30 PM - 2:30 PM

UPS Store -- John Meeder Office

August 31, 2005


Wednesday
9:45 AM - 10:45 AM

UPS Store -- Meedcor

UPS Store and Excelsior Place meeting.


Stan Caterbone

Notes to follow.
9/25/2006 10:13 AM

August 31, 2005 Continued


Wednesday
2:00 PM - 3:00 PM

Sheryl USA Today Women Rule PR -- USA Today Newspaper

4:30 PM - 5:30 PM

Power Station -- email

September 01, 2005


Thursday
11:00 AM - 12:00 PM

Honda - Repo Company Called Wanted Case Numbers -- Home

Reposession Co called and wanted van back. Said Honda is going to


get a court order. Said he would call back. Asked for Judge and
Case Numbers filed in Federal Court

September 06, 2005


Tuesday
8:00 PM - 9:00 PM

Coldplay -- Madison Sq Garden

September 07, 2005


Wednesday
4:00 PM - 5:00 PM

Message Therapist

7:00 PM - 8:00 PM

Green DAy -- Wachovia Center - Philadelphia

September 08, 2005


Thursday
11:30 PM - 11:45 PM

Sheryl Tapes MTV Katrina Benefit in NY -- MTV Studios Times Square New York

September 09, 2005


Friday
6:00 AM - 7:00 AM

Sheryl AOL Sessions Starts Streaming -- 1st 4 Cuts

8:00 AM - 9:00 AM

Harleysville Insurance Payment Due

4:00 PM - 5:00 PM

Lens Crafters - Contacts -- Park City

7:00 PM - 8:00 PM

LIVE - BET Concert -- Simmons Recording Record

8:00 PM - 9:00 PM

LIVE -- Sheryl A Concert For The Gulf Coast - 10 -- All Major Networks

September 10, 2005


Saturday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

8:00 PM - 11:00 PM

Sheryl React MTV Concert Airs -- MTV-VH1-CMT

Stan Caterbone

9/25/2006 10:13 AM

September 10, 2005 Continued


Saturday
8:00 PM - 11:00 PM

Sheryl React MTV Concert Airs - 20 -- MTV-VH1-CMT

8:00 PM - 9:00 PM

Stu Higgens The Honky Tonk Heroe -- Symposium

September 11, 2005


Sunday
7:00 PM - 8:00 PM

Sheryl Italy Concert -- Milan, Italy FestivalBar

September 12, 2005


Monday
8:00 AM - 9:00 AM
10:00 AM - 11:00 AM

Yarnell
Act 23 Fulton Bank -- Tabor

Here we go again?

4:15 PM - 5:00 PM

Cheryl Message -- Chiro

September 13, 2005


Tuesday
8:00 AM - 9:00 AM

Rohrestown

9:00 PM - 10:00 PM

World Music Awards ABC -- LA

10:00 PM - 11:00 PM

Slideshow 2000 Update 2005

September 14, 2005


Wednesday
9:00 AM - 10:00 AM

Fulton Default Payment Due -- Fulton Bank

7:00 PM - 8:00 PM

Sheryl - Germany Concert

September 15, 2005


Thursday
9:00 AM - 12:00 AM

Clinton Global Initiative -- New York, NY

September 16, 2005


Friday
All Day

Clinton Global Initiative -- New York, NY


Please See Above

9:00 AM - 10:00 AM

Sheryl - World Cafe Sessions -- World Cafe ?

Stan Caterbone

9/25/2006 10:13 AM

September 16, 2005 Continued


Friday
12:00 PM - 1:00 PM

$200 check

told mike will buy tv

9:00 PM - 10:00 PM

Sheryl and Lance on 20/20 News

September 17, 2005


Saturday
12:00 AM - 9:00 PM

Clinton Global Initiative -- New York, NY


Please See Above

September 18, 2005


Sunday
10:30 AM - 11:30 AM

LIVE Farm Aid Internet

September 19, 2005


Monday
4:00 PM - 5:00 PM

Jen on Oprah

September 20, 2005


Tuesday
6:00 AM - 7:00 AM

Sheryl AOL Sessions Streaming (Other Cuts)

7:30 AM - 8:30 AM

Lancaster Chamber Non Profit Lobying Forum -- Lancaster Chamber

4:00 PM - 5:00 PM

Lance on Opra -- NY

September 21, 2005


Wednesday
9:00 AM - 10:00 AM

Honda Payment Due

8:00 PM - 9:00 PM

Big Apple To The Big Easy -- Comcast Pay Per View

8:00 PM - 9:00 PM

Los Lonley Boys At Tower -- Atlantic City,NJ

September 22, 2005


Thursday
11:00 PM - 12:00 AM

Sheryl David Letterman -- New York

September 23, 2005


Friday
9:00 AM - 12:00 AM

Stan Caterbone

"Eyes Wide Open" Irag Casualty Multimedia -- F&M College

9/25/2006 10:13 AM

September 23, 2005 Continued


Friday
8:30 AM - 9:00 AM

Sheryl ABC Good Morning America -- NY

12:00 PM - 1:00 PM

Jodie Flight Plan

12:00 PM - 1:00 PM

Sheryl Get's SIRIUS on Satellite Radio

1:00 PM - 2:00 PM

Honorable Judge Anita Brody Chambers -- Federal Courthouse, Philadelphia

Clerk of Judge Brody and Assistant. "Judge not available. Reading


did not respond and did not file brief. Judge will issue order
shortly. Why hasn't the judge issued opiinion, by law it was due 15
days after defendant brief due? Reply "The government does not know
what they are going to do".

2:00 PM - 3:00 PM

U. S. Department of Justice Meeting -- 833 Chestnut Street, Philadlephia, PA

Bankruptcy Trustee For Chapter 11: Never recieved $250 check sent in
on July 18th.
Paid another $250.00 for Chapter 11 Administration

6:00 PM - 7:00 PM

Sheryl Get's SIRIUS on Satellite Radio

8:00 PM - 9:00 PM

Amy Grant Special -- NBC

September 24, 2005


Saturday
All Day

"Eyes Wide Open" Irag Casualty Multimedia -- F&M College


Please See Above

7:00 PM - 12:00 AM

Cream in NYC -- Madison Sq Garden

8:00 AM - 9:00 AM

DVD 14 DAY RETURN

12:00 PM - 1:00 PM

Sirius Channel 18

6:00 PM - 7:00 PM

Sheryl at Boston's Mix 98.5's Mixfest -- Boston

8:00 PM - 9:00 PM

DC at Symposium

September 25, 2005


Sunday
12:00 AM - 10:00 AM

"Eyes Wide Open" Irag Casualty Multimedia -- F&M College


Please See Above

All Day

Cream in NYC -- Madison Sq Garden


Please See Above

6:00 PM - 7:00 PM

Siruis Channel 18

10:00 PM - 11:00 PM

Sheryl Style Star -- Style Star

Stan Caterbone

10

9/25/2006 10:13 AM

September 26, 2005


Monday
12:00 AM - 8:00 PM

Cream in NYC -- Madison Sq Garden


Please See Above

8:00 AM - 9:00 AM

IPOD 14 DAY RETURN

9:00 AM - 10:00 AM

Wildflower UK Release -- London

3:00 PM - 4:00 PM

Jodie on Ellen

8:00 PM - 9:00 PM

Hip Hop Awards vh1?

September 27, 2005


Tuesday
8:00 AM - 9:00 AM

Launch New AMG Website

9:00 AM - 10:00 AM

Wildflower release date -- USA release

11:00 AM - 12:00 PM

Sheryl on The View -- ABC New York

10:00 PM - 11:00 PM

Sirius 18

September 28, 2005


Wednesday
11:15 AM - 12:15 PM

County Commissioners Meeting -- Lancaster County Courthouse

Met with Molly Henderson and had discussion.


thought.

1:00 PM - 2:00 PM

Told her what I

Fulton Bank Mom moved money -- One Penn Square

Mom's accounts. Withdrew $8000 on Monday, Sept 26, and closed the
other account on Sept 23. Met with customer service rep at the bank
headquarters. Why doesn't that suprise me????

6:30 PM - 9:30 PM

Sheryl Accoustic Set -- Times Square Virgin Megastore location

(1540 Broadway Level 2)

8:00 PM - 9:00 PM

Aimee Mann -- Hawii

September 29, 2005


Thursday
8:00 AM - 9:00 AM

I Hope Email -- Dixie Chicks

Sent I Hope mp3 from Dixie Chicks and Sony, from Shelter Concert.

10:00 AM - 10:30 AM

Hopfield School PH Videoi

Send dvd, cd

Stan Caterbone

11

9/25/2006 10:13 AM

September 29, 2005 Continued


Thursday
11:30 AM - 12:00 PM

PA State Tax Exempt Applcation

1:00 PM - 2:00 PM

ab

11:00 PM - 12:00 AM

Sheryl Conan

September 30, 2005


Friday
12:00 AM - 12:30 AM

Sheryl Conan

7:00 AM - 8:00 AM

Sheryl CBS Early Show

8:00 AM - 9:00 AM

Yarnell -- yarnell

6:00 PM - 7:00 PM

Yarnell - Seucurity system malfunction -- 220

Please See Above

garage door not on line

October 01, 2005


Saturday
2:45 AM - 3:45 AM

Yarnell Calls 2 times -- 220

Woke and found 2 calls from yarnell seccurity

6:00 AM - 7:00 AM

Called yarnell to fix system.

System will not arm. Called hq to have it fixed today. Dispatcher


said someone called at 2:45 am because trouble was reported at the
station.

October 02, 2005


Sunday
4:00 PM - 5:00 PM

Yarnell Security -- System Malfunction - Changed Master Passcode

Dispathcer said someone entered house, aborted alarm at 9:21am and


changed the Master Code. Said she would reset. Code changed from
4115 to 2115.
I told her she had a security breach. Mr. Yarnell called me back and
told me to stop calling his despatchers. Then said it was a
malfunction on the board.

Stan Caterbone

12

9/25/2006 10:13 AM

October 02, 2005 Continued


Sunday

Liar.

5:00 PM - 8:00 PM

Aaron Tippin's -- Longs Parkl

5:00 PM - 6:00 PM

Ope Hartlow - Good -- Walmart Fruitville Pike

5:15 PM - 6:15 PM

Conestoga Police Arrest Me For Speeding -- Of Course 33 in a 30 Zone

Gee, something new and different -- Corruption.

7:00 PM - 8:00 PM

Sheryl and Lance Free Austin Concert -- Auditorium Shores, Austin

Lance Diagnosis Concert

October 03, 2005


Monday
8:00 AM - 9:00 AM
9:00 AM - 10:00 AM

tab scans
Property Reclamation

1. 2323 New Danville Pk, Conestoga, PA owned,


2. Useppa Island Townhouse, Captiva, FL downpayment
3. 554 Berkley Road, Stone Harbor, NJ owned, lease to purchae
4. Taquan Glenn Property, Peque, Pa downpayment
5. Navajo Chieften, Turbo Prop, owned
6. Finanacial Management Group, LTD., owned
7. Global Entertainment Group, Ltd., , owned
8. Power Productions I, digital movie, owned
9. FMG Advisory, Ltd., owned
10. Intellectual Property All inclusive.

11:00 AM - 12:00 PM

Call Smokey Roberts Video -- Marietta Aven

Get Master for Project hope

"Numbers Don't Lie"

October 04, 2005


Tuesday
8:00 AM - 9:00 AM

Hempfield Project Hope Video

9:00 AM - 10:00 AM

#2 Wildflower wk 1 - 140,100 -- USA

Stan Caterbone

13

9/25/2006 10:13 AM

October 04, 2005 Continued


Tuesday
1:00 PM - 2:00 PM

Judge Mary Mclaughlin -- U.S. Eastern District

Resubmit original complaint of 1998 affidavit via fax

3:00 PM - 4:00 PM
4:00 PM - 5:00 PM

Jessical Alba ELLEN -- ELLEN show


AMG Website Back On-line

modified power station pages with avatar article.

6:00 PM - 7:00 PM

Email Hempfield HS Admin Numbers Dont Lie Link

6:00 PM - 7:00 PM

Out of the Shadows -- Marietta Avenue Church

8:00 PM - 9:00 PM

Cingular Paid $350 for Wirefly Order

cancelled order, Need to get back Cingular Payment

October 05, 2005


Wednesday
7:00 AM - 8:00 AM
12:00 PM - 1:00 PM

Sheryl On The CBS Early Show -- New York


AB

UNITED STATES TRUSTEE'S RESPONSE TO ORDER TO SHOW CAUSE


WHY THE DEBTOR'S BANKRUPTCY CASE SHOULD NOT BE REINSTATED
On September 21, 2005, this Court entered an Order to Show Cause why,
in light of the Debtor-Appellant's Notice of Appeal and Brief, his
bankruptcy case should not be reinstated in the United States
Bankruptcy Court for the Eastern District of Pennsylvania. The United
States Trustee did not move for dismissal below, and is not a party
to this appeal, but in conformity with the Court's order hereby
submits this response stating she does not oppose reinstatement of
Appellant's case.
I.

PROCEDURAL HISTORY

Appellant commenced his bankruptcy case on May 23. 2005. by filing a


voluntary petition under chapter 11of Title 11 of the United States
Code (the "Bankruptcy Code") Bankr. Docket #1. Appellant was not
represented by counsel at the time he filed his Petition, but was pro
se.
Concurrent with his Petition Appellant filed a Statement of Social
Security %umber,r

3:00 PM - 4:00 PM

Liz Phair Ellen show

3:30 PM - 6:00 PM

Comcast Cable

Stan Caterbone

14

9/25/2006 10:13 AM

October 06, 2005


Thursday
1:00 PM - 2:00 PM

Superior Court of California Filing -- Malibu, California

Filed petitions for estate, and cause of death.

2:00 PM - 11:00 PM

East Lampeter Police Arrest -- Brasserie Restuarant, Lancaster, PA

Filed with California Superior Court for Sammy's Petitions via Willow
Street Post Office. Then headed to Cingular on Lincoln Hwy East,
stopped for lunch at Brasserie. Girl jumped in front of me going in,
SC look alike. 2 girls, noticed SU, with conversation. Stayed to
educate.
One girl, in firs half our, told me to "Get the Fuck OUT"
when I told her about the CIA. Girl next to me was always
delightful, however, she kept running out to her car. Good Cop Bad
Cop strategy? Anyway, the entire bar was baiting me the whole time,
especially about Sheryl and Lance.
Trouble started when a man, balding, light blue shirt, hands folded,
standing behind me yelled at me about the Marines, trying to
intimidate me. I told him, he was just pissed off about the Marine
indicted at the White House for espionage the day before. All hell
broke out, and the bartender lied about the number of drinks I had,
and told me I'm flagged. Demanded I pay for the bill, I said, no,
I'll pay when I'm read

11:00 PM - 12:00 AM

U2 Takes over Conan Show

October 07, 2005


Friday
1:00 PM - 2:00 PM
3:00 PM - 4:00 PM

Paid Conestoga Police Speeding Fine From Sunday


District Justice Savage -- 15 Giest Road

see 1987

8:00 PM - 9:00 PM

New Orleans benefit performance to open Twilight Concert Series -- Binns Room 42 S. Prince St.
Acedamy of Music

October 08, 2005


Saturday
2:00 PM - 3:00 PM

Sheryl at Sunset Blvd in LA Signing

October 10, 2005


Monday
6:00 AM - 7:00 AM

Patio Table Smashed

9:00 AM - 10:00 AM

Honda Grace Period Payment Due

10:00 AM - 11:00 AM

Southern Regional Police Visit -- 220

Chief Firell responds and takes report - said he would send


assignment number for insurance.

Stan Caterbone

15

9/25/2006 10:13 AM

October 11, 2005


Tuesday
9:00 AM - 10:00 AM
1:00 PM - 2:00 PM

#7 Wildflower wk 2 - 108,500 -- USA


AB Order

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYL.VANIA
IN THE MATTER OF:
STANLEYJ. CATERBONE,
Debtor-Appellant
NO. 05-3689
BKY. NO.05-23059TMT
V.

CIVIL ACTION

United States Trustee

ORDER
AND NOW, thls 5th day of October 2005, it is ORDERED that the abovecaptioned
case is reinstated in the United States Bankruptcy Court for the
Eastern District of Pennsylvania,
provided that Debtor-Appellant comply with the rules and requirement

October 12, 2005


Wednesday
9:00 AM - 10:00 AM
12:00 PM - 1:00 PM

WIP Report to Harleysville A. Mazzuchi


ipod crash

ipod crash at Fremont Street.

October 13, 2005


Thursday
12:00 PM - 1:00 PM

Cingular

4 Customer Service Reps, will provide an audit within 7 days.

October 14, 2005


Friday
11:00 AM - 12:00 PM

Superior Court of CA call

Ann, wanted to know what to do with docs.


messages.

8:00 PM - 9:00 PM
8:00 PM - 8:30 PM

Never called back.

Left 2

Aimee Mann -- House of Blues Anaheim, CA


30 Day Ipod

Circuit City gave Upgrade Comment for New Video to swap, given at
store.

Stan Caterbone

16

9/25/2006 10:13 AM

October 15, 2005


Saturday
6:00 AM - 7:00 AM

Iraq Constitution Vote

Est 65%
High Sunni Vote

5:00 PM - 5:30 PM

Passport Missing

Report stolen to Fedor, Southern Regional from kmart.

8:00 PM - 9:00 PM

Aimee Mann -- San Diego, CA Belly Up

10:00 PM - 10:30 PM

Averatec Crash

October 16, 2005


Sunday
2:00 PM - 5:00 PM

Local ACLU chapter meeting -- Friends Meeting House, 110 Tulane Terrace

6:00 PM - 7:00 PM

Liz Phair -- Phil Theater of Arts

8:00 PM - 9:00 PM

Aimee Mann, LA -- UCLA,

8:00 PM - 9:00 PM

Sheryl at Su Oct 16 : Paramount Theater, Seattle, WA -- Paramount Theater, Seattle, WA

October 17, 2005


Monday
9:00 AM - 10:00 AM

Harleysville Insurance Letter

Still under investigation, reason for case not closed when due.

3:00 PM - 3:30 PM

Dicodemy -- 100 Highlands Dr.,Suite 307,Lititz, PA 17543

8:00 PM - 9:00 PM

Sheryl at Mo Oct 17 : Theater in Clouds, Portland, OR -- Theater in Clouds, Portland, OR

October 18, 2005


Tuesday
All Day

Briefcase Sticker

9:00 AM - 10:00 AM
9:30 AM - 10:30 AM

#23 Wildflower wk 3 - 58,900 -- USA


Live B II -- 220

exec prod sc
prod sclajf
star mk.......
creat con glb

Stan Caterbone

17

9/25/2006 10:13 AM

October 18, 2005 Continued


Tuesday
8:00 PM - 9:00 PM

Aimee Mann -- Tuscon, AZ

8:00 PM - 9:00 PM

Sheryl - Boise Idaho Show -- recently added to schedule on sept 9

October 19, 2005


Wednesday
10:00 AM - 11:00 AM

Hugh Ward, Dept of Justice -- Mobile Phone

Do not need DIP account, and do not have to submit anymore docs for
first meeting. Instructions will follow.

1:00 PM - 2:00 PM

Motorola -- Von Phone

will recieve by the 27th. She said they should have given a tracking
no. before returning, only gave ra no. They recived ra on the 13th.

7:30 PM - 9:30 PM

MSU "Hotel Rwanda" -- Reighard Multipurpose Room in the Student Memorial Center

very good crowd and attendance, standing room out in the lobby.

October 20, 2005


Thursday
9:00 AM - 10:00 AM

F&M Lancaster Chamber Expo

9:00 AM - 10:00 AM

Lancaster Chamber Expo -- F&M

1:30 PM - 2:30 PM

forum post -- LCPD

would not give me a private meeting.

8:00 PM - 9:00 PM
10:00 PM - 10:30 PM

told 3 people in lobby.

Canceled Sheryl at Th Oct 20 : Reno Hilton Pavilion, Reno, N -- Reno Hilton Pavilion, Reno, NV
Sammys File to Dwight Faulding, Santa Barbara County Guardian, Santa Barbara

USPS 2103 8555 7490 1708 3066

October 21, 2005


Friday
9:00 AM - 10:00 AM
1:00 PM - 2:00 PM

Honda Payment Due


Reagan Library Air Force One dedication

said mad, your right, something not right

8:00 PM - 9:00 PM

Canceled? Sheryl at Sa Oct 24 : The Joint, Las Vegas, N -- The Joint, Las Vegas, NV

8:00 PM - 9:00 PM

Sheryl at Fr Oct 21 : Greek Theater, Berkeley, CA -- Greek Theater, Berkeley, CA

Stan Caterbone

18

9/25/2006 10:13 AM

October 22, 2005


Saturday
1:00 PM - 2:00 PM

East Lampeter Citations -- us mail

Docket No. CR-408-05


OTN- L260045-2
Hearing Nov 17, 3:00pm

1:00 PM - 2:00 PM

Summary Appeal Court Notice -- us mail

Citation No. P-4181856-0


NT-132-05
Apeal dismissed, charges dismissed,
I owe them 68.16 more in court costs?

8:00 PM - 9:00 PM

Billy Grahm

One of my Dad's friends

October 23, 2005


Sunday
8:00 PM - 10:15 PM

Sheryl - Hollywood Bowl -- Hollywood, CA

October 24, 2005


Monday
6:00 AM - 7:00 AM

WILMA hits Miami, Ft. Lauderdale

Leak case heats up....

8:00 PM - 9:00 PM

Sheryl at Mo Oct 24 : Copley Symphony Hall, San Diego, CA -- Copley Symphony Hall, San Diego, CA

11:00 PM - 12:00 AM

Excelsior Update to website no link yet

October 25, 2005


Tuesday
7:00 AM - 8:00 AM

Iraq Draft Constitution Adopted

70% for 21% against


voter turnout -

9:00 AM - 10:00 AM

2 Airports Bomb Threats - California -- John Wayne - Long Beach Airports

Evacuaated morning after Sheryl's San Diego Concert

9:00 AM - 10:00 AM

Wildflower wk 4 - 45,900

3:00 PM - 4:00 PM

usps pf

Stan Caterbone

19

9/25/2006 10:13 AM

October 26, 2005


Wednesday
8:00 AM - 12:00 AM

Media, Communications & Technology in the Age of the Blogger -- The Union League Club of New York,
38 East 37th Street,

October 27, 2005


Thursday
12:00 AM - 6:00 PM

Media, Communications & Technology in the Age of the Blogger -- The Union League Club of New York,
38 East 37th Street,
Please See Above

1:00 AM - 2:00 AM

gas at 2.29 hess

October 28, 2005


Friday
9:00 AM - 10:00 AM

Meeting with Judge Mary McGlaughlin -- Federal Courthouse, Philadelphia

met with her, and at least 4 staffers

10:00 AM - 11:00 AM

Sheryl on Ellen's Show -- Los Angelos

6:00 PM - 7:00 PM

Sheryl Pllays The Tower In Philly -- Philadelphia, PA

10:00 PM - 11:00 PM

Sheryl at Tower -- Upper Darby, Philadelphia

only saw last 2 songs

October 29, 2005


Saturday
10:30 PM - 11:30 PM

Shery & Lance SNL -- NY

October 30, 2005


Sunday
8:00 PM - 9:00 PM

Sheryl at Su Oct 30 : Avery Fisher Hall , New York, NY -- Avery Fisher Hall , New York, NY

October 31, 2005


Monday
8:00 PM - 9:00 PM

Sheryl at Mon Oct 31 :Avery Fisher Hall, New York, NY -- Avery Fisher Hall, New York, NY

all done til next year....

November 01, 2005


Tuesday
9:00 AM - 10:00 AM
10:00 AM - 10:30 AM

Wildflower wk 5 - 34.800
District Justice Savage Meeting -- 15 Geist Road, Lancaster

Requested a change of venue. DJ Williams? told me to go to County


Court House to the Court Administrator

Stan Caterbone

20

9/25/2006 10:13 AM

November 01, 2005 Continued


Tuesday
11:00 AM - 11:30 AM

Lancaster County Court Administrator -- Lancaster County Courthouse

Will change to another District Justice. Cited the Affidavit and


1987 abuse in Giest Road during arrest by MT Police, Horton and
Reeser.

November 02, 2005


Wednesday
9:00 AM - 10:00 AM

Sheryl release home bside/cr?

November 04, 2005


Friday
11:00 AM - 3:00 PM

called Hugh Ward about appointment -- Philadelphia

Submitals before meeting.


to reschedule.

Resend original submitals.

48 hour notice

was not in, left message to call if we needed to meet, told him by
back was bad and not able to drive, reschedule for mon or tue.

5:00 PM - 6:30 PM

Cheryl Cancels Appt

1st kettering said ok 6:45, then called five minutes later to cancel
with Cheryl. said she was booked.

6:00 PM - 7:00 PM

Sheryl UK London Concert

November 05, 2005


Saturday
2:00 PM - 2:30 PM

Called Matropietro and Dr Pool

called for appt - both said to go to emergency room

6:00 PM - 7:00 PM

Sheryl UK London Concert

November 06, 2005


Sunday
7:00 AM - 10:00 AM

Lancaster Regional Hospital Emergency Room

too much pain. went for pain pills.

8:00 AM - 9:00 AM

Donegal Insurance Payment Due - 159.00

6:00 PM - 6:30 PM

Missing Ipod Receipt and CD

8:00 PM - 8:30 PM

did not help

Back to ER

stronger meds

Stan Caterbone

21

9/25/2006 10:13 AM

November 07, 2005


Monday
8:00 AM - 9:00 AM

Depost $150 Suburban 2440 dairy rd 898-2267

11:30 AM - 1:00 PM

State of the County11/7/200511:30 AM to 1:00 PM

November 08, 2005


Tuesday
9:00 AM - 10:00 AM
9:00 AM - 10:00 AM

forge
Suburban Propane Install

100 lb 48 gal tank 150.00

9:00 AM - 10:00 AM

Wildflower wk 6 - 31,000

11:00 AM - 11:30 AM

Try to Update Ipod -- Circuit City, Lancaster

November 10, 2005


Thursday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

November 13, 2005


Sunday
2:00 AM - 3:00 AM

pic

8:00 AM - 9:00 AM

Borden Murders -- Lititz, PA

November 14, 2005


Monday
4:00 PM - 5:00 PM

Lancaster County Criminal Prothonetary Office -- Lancaster County Courthouse

2 documents were not served including the notice for hearing and the
notice regarding appeal decision. Clerks were not very helpful, and
kept giving excuses as to why I never received any notices.
Always
quick to take my mone for the 2 copies.
Went to Treasurers office, again very condensending, however always
smileing when taking my 68.16 for an appeal that I was never granted
any access to the courts to present my case or more importantly to
appeal my case, yet I paid them for what?

November 15, 2005


Tuesday
9:00 AM - 10:00 AM

Wildflower wk 7 - 22,300

8:00 PM - 9:00 PM

cma awards

Stan Caterbone

22

9/25/2006 10:13 AM

November 16, 2005


Wednesday
9:00 PM - 11:00 PM

Johnny Cash Special

November 17, 2005


Thursday
9:00 AM - 10:00 AM

Napster Free Trial Ends - 14.95 -- Online

3:00 PM - 4:00 PM

656-2191District Judge Ron Savage Court Hearing -- 15 Geist Road, Lancaster, PA 17601

8:00 PM - 8:30 PM

Aimee 790706203960 - Keswick Theatre, Glenside, PA

November 18, 2005


Friday
9:00 AM - 9:30 AM

Johnny Cash I Walk the Line Release

November 21, 2005


Monday
9:00 AM - 10:00 AM

Honda Payment Due

9:00 AM - 10:00 AM

Reading Courtroom Creditors Meeting

12:30 PM - 1:00 PM

Creditors Meeting Courtroom 1

November 22, 2005


Tuesday
9:00 AM - 10:00 AM

#66 Wildflower wk 8 - 19,200

1:00 PM - 2:00 PM

Joss Package per Feb 05

8:00 PM - 9:00 PM

ama awards

November 24, 2005


Thursday
9:00 AM - 10:00 AM

Sheryl Plays at Dallas Cowboys For Salvation Army. -- Dallas, TX

November 25, 2005


Friday
3:00 PM - 3:30 PM

Stan Caterbone

Caden Born 5 lbs.

23

9/25/2006 10:13 AM

November 27, 2005


Sunday
4:00 PM - 4:30 PM

Walk the Line-Manor Cinema

November 28, 2005


Monday
All Day

Smart Document solutions 8004640035 -- CC47263/0078719539

www.sdspayonline.com

7:00 AM - 8:00 AM

Sheryl & He Mom at Aquatic Center Mom CBS -- Keneet Pool

9:00 AM - 10:00 AM

Walk the Line/manor cinema

November 29, 2005


Tuesday
9:00 AM - 10:00 AM
1:00 PM - 2:00 PM

# 54 Wildflower wk 9 - 31,400
Chapter 11 fees -- Reading Clerk of Courts

Paid fee schedule. Clerk provide details for Dec 15 creditors


meeting, along with mandatory requirements.
Addendums and
supplimentals to schedules for creditors.

8:00 PM - 9:00 PM

Sheryl & Lance 2020 -- ABC 20/20

November 30, 2005


Wednesday
9:00 AM - 10:00 AM

Lancaster County Commmissioners Meeting -- lancaster County Courthouse

Art Moris gave recomendations for County Solicitor - excellent.


Convention Center debate; this is exactly what happens when everyone,
including LCCA and County Commisioners conduct business via back room
operations. Everyone seems to forget back in 1998 the enthusiasm for
the project and who killed it - Hoteliers and the lawyers.
The current state of affairs and the financial losses to date is
exactly what happens when politics and maybe even corruption drag out
a project for seven years without ever breaking ground - THE LAWYERS
GET RICH! and the Taxpayers pay the price. Enought blame for
everyone on this one.
If you want to play small town politics, then be happy with a small
and stagnent town, otherwise clean up this corruption.

10:00 AM - 11:00 AM

Charlie Smithgall -- City Hall

visited with Dee, she explained the proposal for the Lancaster Press
Building and we discussed the skyline debate and project.

3:00 PM - 4:00 PM

Dr. Newman, Chiropractor -- Leola Family Health Center

Laser Treatment for groin.

Stan Caterbone

24

9/25/2006 10:13 AM

November 30, 2005 Continued


Wednesday
4:00 PM - 5:00 PM

Mazzi's Ralph Mazzochi -- Leola

Stopped to say hi to Ralph.

5:00 PM - 6:00 PM

Cheryl @ Kettering Chiropractic -- Wiilow Street Pike

Stopped to give her info about Laser Treatments - Ket said she is no
longer here and moved on. No more messages.

8:00 PM - 9:00 PM

Sheryl - NYC Tree Lighting -- Central Park

December 01, 2005


Thursday
11:00 AM - 11:30 AM

Judge Twardowski Hearing Courtroom 1 3rd Floor -- Reading, PA

Fee Schedule
Cancelled, paid on Tuesday

11:00 AM - 11:30 AM

Reading Court Hearing

December 02, 2005


Friday
2:00 AM - 3:00 AM

East Lampeter Addendum for Hearing -- desktop

East Lampeter Citation Addendum to notes:


1.
After walking outside I tried to give my credit card to the
officer to pay for my bar tab, officer refused to take the credit
card so I threw the credit card on the ground. I told the officer
that the bartender tried to charge me for 8 drinks, which was not
true. I asked the bartender to see my tab with my drink totals on
it, she refused. Thats when I told her to call the police. She
inflated my drink total and would not let me see the tab or the
computer print out of my bar tab.
2.
I never yelled obscenities at the police that I can remember,
however, I do remember becoming furious when they did not let me pay
my tab, and especially when they said that I was too drunk to drive
my car home and insisted that I get a taxi home.
3.
I was especially concerned about leaving my car at the bar
because of all of my documents for my court cases that were in the
car. I did not want another incident of people accessing my files,
like what h

2:15 PM - 3:15 PM

Dr. Newman - Laser Treatment -- Leiola Family Health Center

2nd Treatment

December 03, 2005


Saturday
8:00 PM - 9:00 PM

The Players in Vegas -- Mandalay Bay,Las Vegas, NV

WHO: Special appearance by Lance Armstrong and an acoustic set by


Sheryl Crow.
WHERE: Mandalay Bay
WHEN: Saturday, December 3rd
TIME: 7 p.m., General Reception; 8:00 p.m. Dinner, Entertainment,
Live & Silent Auction.
Stan Caterbone

25

9/25/2006 10:13 AM

December 03, 2005 Continued


Saturday
TICKETS: Tickets are $500 each. For more information please call The
Leukemia & Lymphoma Society office at (702) 436-4220

December 05, 2005


Monday
9:00 AM - 10:00 AM

East Lampeter Hearing -- 424 S. Angle Street,Mount Joy, PA 17552 656-2191

Charges withdrawn - May or may not be reissued by Judge Ruetter.


What a crazy discussion and hearing. Judge gave me the finger in the
end while pointing to PA on a piece of paper. I'll save the
specifics and details for myself on this one.
I DO NOT NEED A LAWYER TO TELL THE TRUTH!
OF COURSE, EVEN THE BEST LAWYERS ARE NEGATED TO INEFFECTIVE COUNSEL
IN CORRUPT COURTROOMS.

12:00 PM - 1:00 PM

Laser Treatments -- Dr. Newman, Leola

December 06, 2005


Tuesday
7:00 AM - 8:00 AM

ebay account hacked -- eBay account

23 ipods listed from my store from Bejing China

8:00 AM - 9:00 AM

ifcc fbi I05120608348825 -- fbi internet fraud unit

ifcc internet fraud account


I05120608348825
sullit

9:00 AM - 10:00 AM

#65 Wildflower wk 10 - 23,600

December 07, 2005


Wednesday
11:00 AM - 12:00 PM

Dr. Black -- WillowStreet

request for records

December 08, 2005


Thursday
8:00 PM - 12:00 AM

fiona - tower -- Phil 69th street

black ice - roads too bad to trave


smiller

4:00 AM - 5:00 AM

IFCC FBI I05120804514805 -- fbi internet fraud unit

I05120804514805
hudasi
You are about to submit a complaint with the IFCC.
Please review your information prior to submission.
A PDF copy of your complaint will be emailed to:
Stan Caterbone

26

9/25/2006 10:13 AM

December 08, 2005 Continued


Thursday
amgroup01@msn.com
IFCC COMPLAINT REFERRAL FORM
The following information was provided by the victim and may be
forwarded
to the appropriate law enforcement or regulatory agencies.
Computer Intrusion/Hacking
Date of Complaint: 12/8/05 4:51:15 AM
Victim Information
Business Name: Advanced Media Group andGlobal Entertainment
Group
Name: Stan J Caterbone
DOB: 07/15/1958
Gender: M
Phone #: 7177995915
Email: amgroup01@msn.com
Street Address: 220 Stone Hill Road
Suite/Apt/Mail Stop:
City: CONESTOGA
Live in city limits: No
County: Lancaster State:PA Zip: 17516
Country USA
Do you have pertinent documents in paper form? No
Please indicate who your local law enforcement agency is:
Southern Regional Police Department
Please List the easiest way and most convenient time to contact you:
phone and

9:15 AM - 10:15 AM
3:00 PM - 4:00 PM

Laser Treatments -- Leola Family Health Clinic


take website down -- omnis

took offline

4:00 PM - 5:00 PM

Discover Card -- cell

at least 3 calls
teresea "your case was dismissed on Nov 28, reported on dec 7"
fees to clerk of courts on nov 29th

paid

December 09, 2005


Friday
12:00 AM - 10:30 PM
11:00 AM - 12:00 PM

fiona - tower -- Phil 69th street

Please See Above

ujoe -- cell

again
trouble for myself?

December 10, 2005


Saturday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

11:00 AM - 12:00 PM

30 Day Free Magazine Orders Expire - vog elle enter etc.

Stan Caterbone

27

9/25/2006 10:13 AM

December 10, 2005 Continued


Saturday
5:00 PM - 6:00 PM

Syriana -- Manor Regal Cinemas

well done movie

December 12, 2005


Monday
1:00 PM - 2:00 PM

CD/DVD Writer Hacking -- Cyberwarehouse,Lancaster

tried to restore sys.config - did not work


tried to install new cd/dvd writer - did not work
said to reinstall operating system and reinstall all software
was able to write to 3 cd on Iomega drive before it was hacked early
am
cd writer and dvd writer hacked last month

4:00 PM - 5:00 PM

Comcast Cable Disconected? -- dirty rotten scondrels

8:00 PM - 9:00 PM

Elton John Red Piono -- NBC

December 13, 2005


Tuesday
9:00 AM - 10:00 AM
9:00 AM - 10:00 AM

#67 Wildflower wk 11 - 23,600


LNP The Forgotten Soldier

Forgotten soldier
Hempfield grad was on a top-secret mission in Vietnam; his role and
details of his death were kept from family for many years
By AD CRABLE, New Era Staff Writer
Henry Gerald Gish, Lancaster County's forgotten Vietnam soldier,
saved the lives of his buddies. He was dead at the time. After
nightfall on March 11, 1968, the secret radar base Gish and 18 other
hand-picked Americans were running atop a cliff in the Laos jungle
came under attack by daring North Vietnamese commandos. The illequipped Air Force soldiers, technically Civilians at the time,
scrambled for cover in a hail of bullets and rocket shells. The 25year-old Gish, the kid of the group, and four others piled into a
cave on the mile-high precipice, dubbed Lima Site 85 by the U.S.
government.
Gish was killed early on by a ricocheting bullet. When a grenade was
lobbed into the cave, his body was dragged onto the explosive. Three
airmen survived because of that. But the United States was not
supposed to

December 15, 2005


Thursday
1:00 AM - 2:00 AM

Iraq Votes -- Iraq

Iraq Votes

Stan Caterbone

28

9/25/2006 10:13 AM

December 15, 2005 Continued


Thursday
12:30 PM - 1:30 PM

Meeting of Creditors Reading Courtroom 1 3rd Floor610-320-5255 -- 400 Washington Street,


Reading,pa

341 Meeting with Mr. Ward of Department of Justice, No Creditors


attended. Routine meeting to clarify under oath schedules submitted.
Said to submit all filings to Reading Courts and would only hear from
DOJ if anything additional is needed. Asked when able to file
reorginaztion plan, answered "hard to answer at this time without any
further information from Judge Maclachlin of Eastern Regional
District Courts".

December 16, 2005


Friday
12:00 PM - 1:00 PM

Sheryl Live on Howard Stern -- New York city

Great Concert and interview by HS

7:00 PM - 8:00 PM

The Marsch sisters-White House Xmas Singers -- Hollinger House, Willow Valley

Open House and concert

11:00 PM - 11:30 PM

Josh Creative Completed

December 17, 2005


Saturday
6:00 AM - 7:00 AM

Judge McLaughlin Hearing Request -- Stone Hill

Stanley J. Caterbone (pro se)


220 Stone Hill Road
Conestoga, PA
17516
United States District Court for the Eastern District of Pennsylvania
Honorable Judge Mary A. McLaughlin
Room # 13614
601 Market Street, Room 2609
Philadelphia, PA 19106-1748
Phone: (215) 597-7704
Fax: (215) 597-6390 600
Re: Case No. 05-2288
Honorable Judge Mary A. McLaughlin,
On Thursday, December 15th, in the United States Bankruptcy Court for
the Eastern District of Pennsylvania, I had my 341 Conference with
Mr. Ward of the Trustees office of the Department of Justice, under
oath. This meeting was recorded by Mr. Ward; the only persons
present were a Security Officer of the courts, myself, and Mr. Ward.
No creditors elected to attend.
During our meeting I was asked to determine the date of time in which
I will be able to submit my reorganization plan to the courts as
prescribed by law. My answer was that I have not had access to the
above aforementioned case, and until I do, it wo

Stan Caterbone

29

9/25/2006 10:13 AM

December 17, 2005 Continued


Saturday
1:00 PM - 2:00 PM

Hot Tub Cramp

almost freakin ....

3:00 PM - 4:00 PM

Cingular -- Park City,Lancaster,PA

Replace and activate new simm card in old phone to replace stolen
phone.
data cable
charging cable stolen
TGIF

6:00 PM - 7:00 PM

Josh Christmas Gift -- Harrisburg Pike,Lancaster,PA

Label/Receipt Number: EC90 6902 833U S


Status: Enroute
Your item was processed and left our LANCASTER, PA 17604 facility on
December 17, 2005. Information, if available, is updated every
evening. Please check again later.
hipped to:
JHOSSELIN VAZQUEZCALIZAYA
CFCA- FUNDACION CRISTIANP
CASILLA 558 1COCHABAMBA

6:00 PM - 7:00 PM

USPS 176/414406-9550 -- Harrisburg Pike,Lancaster,PA

To Judge McLaughlin
to Judge Twardoswski

December 21, 2005


Wednesday
9:00 AM - 10:00 AM

Honda Payment Due

10:00 AM - 11:00 AM

Budget Submittals to Reading

4:00 PM - 4:30 PM

Laser Treatment -- Leola Family Health Clinic

8:00 PM - 9:00 PM

Christmas Adoption showSheryl Crow, The Goo Goo Dolls, Toni Braxton and Yolanda Adams -- CBS

December 23, 2005


Friday
10:00 PM - 10:30 PM

Men In Black Johny Cash Tribute -- Chamilion Club, Lancaster, PA Prince Street

December 27, 2005


Tuesday
9:00 AM - 9:30 AM

Stan Caterbone

#72 Wildfower wk 12-23,600

30

9/25/2006 10:13 AM

December 28, 2005


Wednesday
8:00 AM - 8:30 AM

Cyberwarehouse Restore System -- Lancaster, PA

$50 to Restore to factory settings


$45 wireless pci card for old laptop

December 30, 2005


Friday
1:00 AM - 1:30 AM

Es usps mail -- Harisburg Pike, Lancaster, PA

9:00 AM - 9:30 AM

Es email Avatar,Interscope, RIAA -- cc mail list

December 31, 2005


Saturday
4:30 AM - 5:00 AM

Depart for Los Cabos Southwest FL to Houston 7:20 am -- 220 Stone Hil to Philadelphia International

Charged me an extra $25 for lugage that they ended up loosing later in the day at Houston
Airport
1:00 PM - 1:30 PM

Lost Luggage when arrive in Houston (Houston Hobby Airport)

1:00 PM - 1:30 PM

Mom calls on cell phone while in meeting with Southwest Airlines re lost luggage (Southwest Arilines
Office at Hobby, Airport)

8:00 PM - 8:30 PM

Arrive at Puarto Vallarte (PVR) not Los Cabos -- Puarte Vallarte, Mexico

9:00 PM - 9:30 PM

Arrive via taxi at Marriot Hotel, Puarta Vallarte -- Puarta Vallarte, Mexico

Wanted $450.00 per night, US, was sent there by car rental vendors at PVR airport.

January 10, 2006


Tuesday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

January 16, 2006


Monday
7:00 PM - 8:00 PM

Martina Hershey Giant Theatre

January 21, 2006


Saturday
9:00 AM - 10:00 AM

Honda Payment Due

February 10, 2006


Friday
9:00 AM - 10:00 AM

Stan Caterbone

Honda Grace Period Payment Due

31

9/25/2006 10:13 AM

February 15, 2006


Wednesday
9:00 AM - 10:00 AM

Chapter 11 meeting -- Reading, PA

February 18, 2006


Saturday
9:00 AM - 12:00 AM

Mardi Gras - New Orleans

February 19, 2006


Sunday
All Day

Mardi Gras - New Orleans

Please See Above

February 20, 2006


Monday
All Day

Mardi Gras - New Orleans

Please See Above

February 21, 2006


Tuesday
All Day

Mardi Gras - New Orleans

9:00 AM - 10:00 AM

Honda Payment Due

Please See Above

February 22, 2006


Wednesday
All Day

Mardi Gras - New Orleans

Please See Above

February 23, 2006


Thursday
All Day

Mardi Gras - New Orleans

Please See Above

February 24, 2006


Friday
All Day

Mardi Gras - New Orleans

Please See Above

February 25, 2006


Saturday
All Day

Mardi Gras - New Orleans

Please See Above

February 26, 2006


Sunday
All Day

Stan Caterbone

Mardi Gras - New Orleans

Please See Above

32

9/25/2006 10:13 AM

February 27, 2006


Monday
All Day

Mardi Gras - New Orleans

Please See Above

February 28, 2006


Tuesday
12:00 AM - 10:00 AM

Mardi Gras - New Orleans

Please See Above

March 10, 2006


Friday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

March 21, 2006


Tuesday
9:00 AM - 10:00 AM

Honda Payment Due

April 10, 2006


Monday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

April 21, 2006


Friday
9:00 AM - 10:00 AM

Honda Payment Due

April 28, 2006


Friday
7:30 PM - 8:00 PM

Barnstormers Opening Game

May 10, 2006


Wednesday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

May 21, 2006


Sunday
9:00 AM - 10:00 AM

Honda Payment Due

June 07, 2006


Wednesday
1:00 PM - 1:30 PM

Fulton Bank's Response to Plaintiffs Motion for Ex Parte Meeting

126 East King Street


Lancaster, PA 17602-2893
Tel717.299.5201 Fax 717.291.4660
www.barley.com
Stephanie Carfley, Esquire
Djrect Dial Number: 717.399.1 536
E-mail: scnrfley@barIey.com
Stan Caterbone

33

9/25/2006 10:13 AM

June 07, 2006 Continued


Wednesday
June 5,2006
Stanley J. Caterbone
220 Stone Hill Road
Conestoga. PA 175 16
Re: Stanley J. Caterbone v. Fulton Bank, et al.
Dear Mr. Caterbone:
Enclosed please find a copy of Defendant Fulton Bank's Response to
Plaintiffs Motion
for Ex Parte Meeting with the Honorable Mary A. McLaughlin, the
original of which has been
electronically filed this date.
Very truly yours,
.,
Stephanie Carfley
sckat:1641517.1
Enclosure
cc: George M. Gowen, 111, Esquire
George T. Brubaker, Esquire, Esquire
Howard L. Kelin, Esquire
Michael Donahue, Stone Harbor Police Department
Stephen Basse, Esquire
Lancaster York . Harrisburg. Reading Berwyn Hanover Chambersburg
Responses and Replies
-2 :05cv-02288-MAM CATERBONE v. LANCASTER COUNTY PRISON et al CASE
CLOSED on
0411 212006
United States Distri

June 08, 2006


Thursday
6:00 PM - 6:30 PM

Fulton Bank Giftcard carl mummert email

From :
Advanced Media Group <amgroup01@msn.com>
Sent :
Thursday, June 8, 2006 6:55 PM
To : "'Mummert, Carl'" <CMummert@fultonbank.com>
CC : <amgauctions@comcast.net>
Subject :
RE: Fraud Inquiry by you on Visa Gift Card
http://gfx2.hotmail.com/spacer.gif
Go to previous message
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0F1','','','prev','12794280967013')>
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0ABD4341-2795-4B1D-82A8-5DA57397F0F1&start=0&len=87731&imgsafe=y&wo=
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&a=91c684f035c549da9f063c3e905d27183ac75baa82b37e368e0037a4dc5f1601#>
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Inbox <javascript:HM('curmbox=
00000000-0000-0000-0000-000000000001')>
Fulton Bank owes me $45.98.
Sir, you are blind, there are (2) $26.90 charges on my Gift card
Transaction details.

Stan Caterbone

34

9/25/2006 10:13 AM

June 09, 2006


Friday
9:00 AM - 9:30 AM

Hearing for Conetoga Speeding Ticket -- District Court, 25 East State Street,Quarryville,PA 17566
717-786-7368

717-786-2072 fax

June 10, 2006


Saturday
12:30 AM - 1:00 AM

Dave, Heather, Cory,Gordie,John Gaul & Merna at Rock Hill -- Rock Hill Tavern

Everything fine until Dave, John and Gordie walked out to go to ..


Dave bought me a drink and a round for Corie B-day.
Was civil to all
Heather started trouble after Dave walked out, "why did you sue Dave,
it is recorded" Kept telling her it was not.
You are not married to Sheryl Crow, you are a lier"
Moved to the other side of bar to talk to guy with Project Hope golf
shirt on, John? Stoe
Bartender kept giving me a hard time for all the Pflumms
Bartender yelled at me that now is not the time, I said she started
it by bring it up, and I was informing her of the truth.
Bitch bartender called me a Dick, so I called her a Cunt and she took
my drink. Told Harris to give me my drink back, only had 2 beers all
night at Prince street bar.
Corie yelled, he has been going off on everyone tonight.

9:00 AM - 10:00 AM

Honda Grace Period Payment Due

June 12, 2006


Monday
1:00 PM - 1:30 PM

PLAINTIFFS REPLY TO FULTON BANKS RESPONSE TO PLAINTIFFS MOTION FOR EX PARTE MEETING
WITH THE HO -- US District Courthouse Philadlphia

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA

STANLEY J. CATERBONE,
Plaintiff
v.

No. 05-

CV-2288
LANCASTER COUNTY PRISON,
MANHEIM TOWNSHIP POLICE DEPARTMENT,
DEMANDED
STONE HARBOR POLICE DEPARTMENT,
AVALON POLICE DEPARTMENT,
COMMONWEALTH NATIONAL BANK (LC. MELLON BANK),
SOUTHERN REGIONAL POLICE DEPARTMENT,
LANCASTER COUNTY SHERIFFS DEPARTMENT,
FULTON BANK
Defendant

Stan Caterbone

35

JURY TRIAL

9/25/2006 10:13 AM

June 12, 2006 Continued


Monday
PLAINTIFFS REPLY TO FULTON BANKS RESPONSE TO PLAINTIFFS
MOTION FOR EX PARTE MEETING WITH THE HONORABLE MARY A. McLAUGHLIN

FULTON BANK RESPONSE


Defendant, Fulton Bank, by and through its attorneys, Barley Snyder,
LLC, hereby files the following Response in opposition to Plaintiffs
Motion for Ex Parte Meeting with the Honorable Mary A. McLaughlin: On
or about June 2,2006, Plaintiff filed a Motion requesting an ex parte
meeting with the Honorable Mary A. McLaughlin "to discuss the
problems of preceding, this a

June 13, 2006


Tuesday
12:00 AM - 12:30 AM

Judge Mary McLaughlin Memorandum and Order of June 13 2006

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE \ L E D CIVIL ACTION
LANCASTER COUNTY PRISON, et al . . hid2 c!- /i NO. 05-2288
MEMORANDUM AND ORDER
The pro se plaintiff has made numerous allegations against numerous
defendants in his eighty-seven page complaint
The Court will dismiss the complaint as to moving defendants Mellon
Bank (named as "Commonwealth National Bank"), Manheim Township Police
Department, and Fulton Bank for failure to state a claim. The Court
will also dismiss the complaint as to non-moving defendants Southern
Regional Police Department, Stone Harbor Police Department, AValOn
Police Department, Lancaster County Prison and Lancaster County
Sheriff's Department for failure to serve the complaint and summons.
I. Failure to State a Claim Each of the moving defendants has moved
to dismiss on the ground that the plaintiff has failed to state a
timely claim.' The United States Court of Appeals

June 14, 2006


Wednesday
7:30 AM - 8:00 AM

Manor Township Police - Report Rules Book Stolen

Talked to Officer Carolyn, would not give incident number.

2:00 PM - 2:30 PM

PA Rules of Civil Procedure Stolen -- Leisure Lanes Driving Range, Columbia Ave, Lancaster, PA

June 15, 2006


Thursday
All Day

PA Attorney General Gus Dorn

Said to put it in writing, said ..


TOM CORBET
ATTORNEY GENERAL
Stan Caterbone

36

9/25/2006 10:13 AM

June 15, 2006 Continued


Thursday
COMMONWEALTH OF PENNSYLVANIA
OFFICE OF ATTORNEY GENERAL
RUREAII OF CONSUMER PROTECTION
Harrisburg Regional Office
301 Chestnut Street, Suite 105
Harrisburg, PA 17101
(7171 787-7109
May 31, 2006
Stdn Caterbone
220 Stone Hill Road
Zonestoya, PA 17516
Ref: Yarnell Securities, A-002594-2006
Dedr Mr. Caterbone:
The erlclosed correspondence is related to your complaint filed with
the Bureau
01 Consumer Protection.
Please provide us with a written response to this correspondence
within
fifteen (15) days of the date of this letter so that we may further
evaluate
your complaint.
If we do not hear from you in a reasonable amount of time, we will
assume that
you do not wish to pursue the matter further.
Thank you for your cooperation and attention to this matter.
Very truly yours,
H. Gus Dorn
P/&,
Senior Agent
ml
Enclosure
25C

10:00 AM - 10:30 AM

Hearing DJ Ballentine Caterbone v. Comcast -- 30 Locust Street,Lancaster,PA

Comcast failed to show, Office said I will receive new notice, I said
I win by defualt judgement. I was not notified by mail or any new
hearing date. Nothing in mail today either.

1:00 PM - 1:30 PM

Harleysvill - PA Insruance Dept. Jim John Phone Call

Vonney Shutt out of office, supervisor, took call, said he would


investigate and get back to me in a few days.

June 17, 2006


Saturday
8:00 PM - 8:30 PM

Tim McGraw & Faith Hill - SOLD OUT -- GIANT Center

Event Name:

2nd Show Added for Tim McGraw & Faith Hill - SOLD OUT

Type of Event:
Show
Entertainment
Venue:
Hershey

GIANT Center

Event Date(s):
Event Time(s):
On-Sale Date:
Stan Caterbone

Concert

6/17/06
8:00 PM
3/25/06
37

9/25/2006 10:13 AM

June 17, 2006 Continued


Saturday
On-Sale Time:
10:00 AM
Admission:
$87.75, $62.75 and $42.75
***8 Ticket Limit***
Processing fee will apply
Parking Fee is applicable
Event Details:
Their first scheduled show sold out in just
minutes. Now the most famous couple in country music will perform at
the GIANT Center on June 17 at 8 p.m. Tickets go on sale on Saturday,
March 25 at 10 a.m.
The mega-tour, which is expected to exceed 70 concert dates, will
kick off on April 21 at The Nationwide Arena in Columbus, Ohio.
Soul2Soul II puts to end a nearly six-year hiatus away from the road
for Hill, and puts McGraw back onstage in front of the loyal
audiences that have served to make him one of the music industrys
biggest touring acts.
Tim McGraw and Faith Hills Soul2Soul Tour

June 18, 2006


Sunday
8:00 PM - 8:30 PM

Tim McGraw & Faith Hill - SOLD OUT -- Hershey Stadium

Tim McGraw & Faith Hill - SOLD OUT

June 19, 2006


Monday
12:00 AM - 12:30 AM

Judge Mary McLaughlin Order for Amended Complaint

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE CIVIL ACTION
v.
LANCASTER COUNTY PRISON.
NO. 05-2288
ORDER
Filed JUN 19 20006
AND NOW, this 19th day of June, 2006, upon consideration of the
plaintiff's reply brief in support of his motion for an ex parte
meeting with the Court, IT IS HEREBY ORDERED that, to the extent that
the plaintiff is requesting leave to file an amended complaint: 1)
the request shall be deemed a motion to file an amended complaint;
and 2) the motion is GRANTED. Although the Court dismissed many of
the claims in the original complaint as time-barred, and the
plaintiff has not attached a proposed amended complaint to
demonstrate that he will be able to cure the deficiencies in the
original complaint, the plaintiff is entitled to amend his pleadings
once as a matter of course before a responsive pleading is served.
Fed. R. Civ. P. 15(a); Shane v. Fauver, 213 F.3d 113, 115 (3d Cir.
200

Stan Caterbone

38

9/25/2006 10:13 AM

June 19, 2006 Continued


Monday
10:30 AM - 11:00 AM

H. Gus Dorn Commonwealth Of Pennsylvania

Advanced Media Group


220 Stone Hill Road
Conestoga, PA
17516
June 19, 2006
H. Gus Dorn
Commonwealth Of Pennsylvania
Office Of Attorney General
Bureau Of Consumer Protection
Harrisburg Regional Office
301 Chestnut Street, Suite 105
Harrisburg, PA 17101
(7171 787-7109
May 31, 2006
Re: A-002594-2006
As per our conversation, I will address the issues contained in Mr.
Yarnells response to your office. Please not that I was not given
any of the exhibits that Mr. Yarnell submitted to your office.
On August 26,2005 we entered into an agreement with Mr. Caterbone
for the installation and monitoring of an alarm system at 220 Stone
Hill Road Conestoga, PA 17518. Our standard pricing for the system he
ordered is $1,899.00 and then he would pay $192.00 per year for the
monitoring of the system. Another option he was given was to pay
$1,324.00 for the installation and then pay $299.40 per year for 5
years. Mr. Caterbone chose the 2nd option. (Attached ma

11:30 AM - 12:00 PM

Visit Lancaster Courthouse PA Rules Book Returned to Briefcase -- Lancaster County Courthouse

Noticed when getting briefcase out to go into courthouse


Get release of lien doc from Prothonetary

June 20, 2006


Tuesday
4:00 AM - 4:30 AM

Woke up with legs locked

Both groins were locked, could not walk, hypnotized via tv??

10:30 AM - 11:00 AM

Hearing East Lampeter Prelim Hearing

1:30 PM - 2:00 PM

Visit Lancaster County Prothenetary Civil & Criminal -- Lancaster County Courthouse

File release of lien and get info for appeal for Tim Decker Eckert
Citation
Nunc Pro Tume for Eckert Appeal from Criminal Clerk of Courts
the plaintiff in the above Judgment, do hereby howledge to have
recieved fill satisfaction for the same, and
hereby authorize and empowet. the Prothonotary of the Court of Common
Pleas of Lancaster Camty to enter
satisfacticm thereon and release the same.
WITNESS Li dia 2 hmd and seal the '20 day of
Stan Caterbone

39

9/25/2006 10:13 AM

June 20, 2006 Continued


Tuesday
3
COMMONWEALTH OF PENNSYLVANIA,
ss. :
A c o r n ,
Before me, the suhribet, a ndw,, ~ b \ ; c in and for said County,
personally came the abovenamed ~ i a ?nI '~ htebro rne
who in due form of law acknowleded the above Pbwer of Attorney to
release the above-stated Judgment, to be hi 5 - act and deed, to the
end that the same might
be recorded as such.
WITNESS my hand and seal the day and year above written,
No= Tbir pgsr must be rknowlcd&ad b& n falice af thv PPW. Motnly
Psblie, ar albar affias duly rwitld by
*w m tab 1 c f ~ l d ~ l 8

3:30 PM - 4:00 PM

Harleysvill PA Insurnace Dept Vonney Shutt Phone Call -- Harrisburg,PA

Kept giving me a run around and saying "why don't you send it
certified"
Told her he has all he needs for claim, will not talk or communicate
with Plum, told her to do her job, I filed complaint, not him.go
to hell

June 21, 2006


Wednesday
6:30 AM - 7:00 AM

Email to Judicial Conduct Board for Commins Hearing

amgroup01@msn.com Printed: Wednesday, June 21, 2006 6:40 AM


_____
From :
Advanced Media Group <amgroup01@msn.com>
Sent :
Wednesday, June 21, 2006 6:36 AM
To : <joseph.massa@jcbpa.org>
CC : <amgauctions@comcast.net>, "Chief Fiorill "
<FiorillJ@police.co.lancaster.pa.us>
Subject :
Complaint No. 2006-215
_____
http://gfx2.hotmail.com/i.p.attach.gifAttachment :
MDJComminsSomethingHearingjun202006.pdf
<http://by104fd.bay104.hotmail.msn.com/cgi-bin/getmsg?
&msg=C61CCE00-13C8-4BEE-AFC9-B27AC357F29E&start=0&len=1463933
&mimepart=5&curmbox=00000000%2d0000%2d0000%2d0000%2d000000000001&a=
91c684f035c549da9f063c3e905d2718eb88843cfd77b39b9e7191b779191578
&vscan=scan> (0.62 MB), VonageRecordsforJune15toJune21.pdf
<http://by104fd.bay104.hotmail.msn.com/cgi-bin/getmsg?
&msg=C61CCE00-13C8-4BEE-AFC9-B27AC357F29E&start=0&len=1463933
&mimepart=6&curmbox=00000000%2d0000%2d0000%2d0000%2d000000000001&a=
91c684f035c549da9f063c3e905d2718eb88843cfd77b39b9e7191b779191578
&vscan=scan>

9:00 AM - 10:00 AM
9:00 AM - 9:30 AM

Honda Payment Due


Paid Eckert $25.00 for citations

SRP Officer said could not get a copy of files after asking Office
Manager - wanted me to cause disturbance so could cite me with
disordorly conduct or get another 302
Stan Caterbone

40

9/25/2006 10:13 AM

June 21, 2006 Continued


Wednesday
She was abusive, kept trying to get me mad with back talk and kept
telling me it will cost me for citations, I would have to pay wether
in Bankruptcy or not.
Said will call when files are copied

11:00 AM - 11:30 AM

Public Defender Office

Get application, needed Police Complaints, will get later

11:30 AM - 12:00 PM

Visit Lancaster General Hospital

Sent to Corporate attorneys at 609 Cherry Street were not in said


will call back.

June 22, 2006


Thursday
3:00 AM - 3:30 AM

Comcast & Internet Shutt Off

Digital Cable went down.

9:00 AM - 9:30 AM

Hearing Majistrict Dist Hamilton 872-4361 -- 324 Beaver Valley Pike,Willow Street,PA 17584

COMMONWEALTH OF PENNSYLVANIA NOTICE OF CONTINUANCE


COUNTY OF LANCASTER
Mag Dist NO.
02-2-06 COMMONWEALTH OF PENNSYLVANIA
M W Name Hon
LEO H. ECKERT, JR
AddresS 841 STEHMAN ROAD
MILLERSVILLE,PA
VS.
DEFENDANT NAME and ADDRESS
Telephone (717 ) 872-4361 17551-9753
STANELY, J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
Date Flled: 4/12/06
Please note that the hearing in the above captioned case, which was
scheduled to occur on: 5/15/06
has been continued to:
If you have any questions, please contact this office immediaiely.
Date: 6/22/06
Time: 9:OO AM
Continuance requested by: MAGISGERIAL DISTRICT JUDGE
Place: DISTRICT COURT 02-3-03
324 BEAVER VALLEY PIKE
WILLOW STREET, PA 17584
If you are disabled and require assistance, please contact the
Magisterial District office at the address above.
I
COMPLAINT NUMBER: 060455C DATE PRINTED: 5/12/06 1:36:28 PM
DATE COMPLAINT SIGNED: 0/00/00
Stan Caterbone

41

9/25/2006 10:13 AM

June 22, 2006 Continued


Thursday
9:30 AM - 11:30 AM

Travel to Reading Bankruptcy Court to file brief -- Reading,PA

9:30 AM - 11:30 AM

Travel to Reading Bankruptcy Court to file brief -- Reading,PA

June 23, 2006


Friday
1:30 AM - 2:30 AM

Southern Regional & West Lampeter -- 220 Stone Hill Road

Call State Police for special services for finger print of window bar

2:30 AM - 3:00 AM

Comcast - Susan Gibson -- S. Duke Street

Said she would send repairman to fix. Said she did nothing with
account, and told repair dept to connect "Today"
Gave me Mabel Cob address for subpoena
Received call later, said it was a glitch in system.

6:00 PM - 6:30 PM

Dave Matthews Band and O.A.R. -- HERSHEYPARK Stadium

Dave Matthews Band and O.A.R.


Type of Event:
Concert
Show
Entertainment
Venue:
Hershey

HERSHEYPARK Stadium

Event Date(s):
6/23/06
Event Time(s):
7:00 PM
On-Sale Date:
4/8/06
On-Sale Time:
10:00 AM
Admission:
$56.50 reserved field - 2 Ticket Limit
$40.75 general admission field and reserved grandstands - 6 Ticket
Limit
Processing fee applies
Parking fee applicable
Event Details:
Highlights on this years trek through the States
include the bands second stand at New York Citys Randalls Island,
their annual three-night appearance at the Gorge Amphitheatre outside
of Seattle, and the bands first-ever performance at Hollywoods
famed Hollywood Bowl.
Last year, DMB spearheaded a fundraising effort highlighted by a
special appearance at Denvers famed Red Rocks, where they raised
more than $1.5 million for victims of Hurricane Katrina.
O.A.R.s brand new Everfine/Lava/Atlantic album, Stories of a
Stranger, sold more than 28,000 units in

6:00 PM - 6:30 PM

Dave Matthews Band and O.A.R. -- HERSHEYPARK Stadium

Dave Matthews Band and O.A.R.


Type of Event:
Concert
Show
Entertainment
Venue:
Hershey
Stan Caterbone

HERSHEYPARK Stadium

42

9/25/2006 10:13 AM

June 23, 2006 Continued


Friday
Event Date(s):
6/23/06
Event Time(s):
7:00 PM
On-Sale Date:
4/8/06
On-Sale Time:
10:00 AM
Admission:
$56.50 reserved field - 2 Ticket Limit
$40.75 general admission field and reserved grandstands - 6 Ticket
Limit
Processing fee applies
Parking fee applicable
Event Details:
Highlights on this years trek through the States
include the bands second stand at New York Citys Randalls Island,
their annual three-night appearance at the Gorge Amphitheatre outside
of Seattle, and the bands first-ever performance at Hollywoods
famed Hollywood Bowl.
Last year, DMB spearheaded a fundraising effort highlighted by a
special appearance at Denvers famed Red Rocks, where they raised
more than $1.5 million for victims of Hurricane Katrina.
O.A.R.s brand new Everfine/Lava/Atlantic album, Stories of a
Stranger, sold more than 28,000 units in

June 24, 2006


Saturday
All Day

PA Civil Rights Complaint Form Work in Progress

Civil Rights Enforcement


15th Floor, Strawberry Square
Harrisburg, PA 17120
(717) 787-0822
Fax: (717) 787-1190

2. IF EMPLOYMENT RELATED, WHOM IN MANAGEMENT HAVE YOU INFORMED OF


YOUR COMPLAINT?
WHAT ACTION WAS TAKEN?
3. DO YOU KNOW OF ANY OTHER INDIVIDUAL(S) WHO HAVE BEEN TREATED THE
SAME OR RECEIVED SIMILAR TREATMENT? No
WHAT HAPPENED TO THESE INDIVIDUALS?
4. DO YOU HAVE ANY WITNESSES TO VERIFY OR CONFIRM YOUR COMPLAINT? Yes
5. DID YOU SUFFER ANY MONETARY LOSS OR LOSS OF BENEFITS? PLEASE
EXPLAIN. Yes
6. PROVIDE THE DATE(S) OF INCIDENT(S):
July 2, 1987 - In an effort to continue all efforts and business
activities, Stan Caterbone visits the Office Works, owned and
operated by High Industries, to purchase a printer while staying in
Stone Harbor. FMG, Ltd., had an open account, which Stan Caterbone
authorized, as an officer of FMG, Ltd.,. The Office Works demands
cash payment and refuses to put the purchase on credit.
Stan Caterbone

43

9/25/2006 10:13 AM

June 24, 2006 Continued


Saturday
July 6, 1987 - In an e

June 26, 2006


Monday
9:00 AM - 9:30 AM

Done Eckert Payment due $25.00 Conestoga speeding & inspection citations

COMMONWEALTH OF PENPJSYLVANIA
COUNTY OF: W T t l s C
MPO Ma. NR:
02-2-06
mknec Wm.
w HI -T, JP
841 0- EUAD
H X ~PA ~ ,
ORDER IMPOSING SENTENCE
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDAM: NAME%-~AWRESS
ST- J.
220 BTmm HILL POlrD -, PA 17516
- YOU fHA* , y o u *
rice pummm Pa,
you to the following:
i
Sentenced to Fines, Costs, a& Restitution
You are hereby order8cl to make payment to thib court on
You are Mnby ordered to make an init'ilgyment to this court h the
amount oi $ - on-Refer to the Magisterial DWkt Judge Payment Order for additional
payment
&dub information. You are hereby ordered to make an initial payment of $
due on or before + Thereafter. a minimum payment of $
shall be made to this court with a final payment on
Refer to the Magisterial District Judge Payment Order for additional
payment schedule information.
Alternate Sentendlntemediate Puni-s hment 4 * + : *,--.---- .----.:
to commence on and conelude on
Sentenced to Imprisonment

June 27, 2006


Tuesday
9:30 AM - 10:00 AM

MDJ Ballentine Request for Proposal

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF LANCASTER
REQUEST FOR SUBPOENA
Magisterial District Justice No.:

0 2 - 2 - 0 1

Kelly S. Ballentine, Esq


123 Locust St-Rear
Lancaster, Pa
Stan Caterbone

44

9/25/2006 10:13 AM

June 27, 2006 Continued


Tuesday
717-299-7974
717-299-8375 Fax
Request For Subpoena
Caterbone, Stanley, J.
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184
Vs.
Defendant:
Comcast Cable
1113 South Duke St
Lancaster, Pa 17602
Date Filed: 06/27/2006
Re: Stanley J. Caterbone
Vs: Comcast Cable And Susan Gibson
Docket No. Cv-160-06
Subpoena Name And Address:

Mabel Cob
Bankruptcy Department
New Castle Call Center
4008 North DuPont Hwy
New Castle, De
19720
302-661-8228

IN FORMA PAUPERIS

1. I am the plaintiff in the above matter and because of my financial


condition am unable to pay the fees and costs of prosecuting or
defending the action or proceeding.
2. I am unable to obtain funds from anyone, including my family and
associates, to pay the costs Lit

10:00 AM - 10:30 AM

PA Civil Rights Nelson Brewster Atty Investigator

Civil Rights Enforcement


15th Floor, Strawberry Square
Harrisburg, PA 17120
(717) 787-0822
Fax: (717) 787-1190

2. IF EMPLOYMENT RELATED, WHOM IN MANAGEMENT HAVE YOU INFORMED OF


YOUR COMPLAINT?
WHAT ACTION WAS TAKEN?
3. DO YOU KNOW OF ANY OTHER INDIVIDUAL(S) WHO HAVE BEEN TREATED THE
SAME OR RECEIVED SIMILAR TREATMENT? No

Stan Caterbone

45

9/25/2006 10:13 AM

June 27, 2006 Continued


Tuesday
WHAT HAPPENED TO THESE INDIVIDUALS?
4. DO YOU HAVE ANY WITNESSES TO VERIFY OR CONFIRM YOUR COMPLAINT? Yes
5. DID YOU SUFFER ANY MONETARY LOSS OR LOSS OF BENEFITS? PLEASE
EXPLAIN. Yes
6. PROVIDE THE DATE(S) OF INCIDENT(S):
July 2, 1987 - In an effort to continue all efforts and business
activities, Stan Caterbone visits the Office Works, owned and
operated by High Industries, to purchase a printer while staying in
Stone Harbor. FMG, Ltd., had an open account, which Stan Caterbone
authorized, as an officer of FMG, Ltd.,. The Office Works demands
cash payment and refuses to put the purchase on credit.
July 6, 1987 - In an e

June 28, 2006


Wednesday
10:30 AM - 11:00 AM

Civil Rights Enforcement Complaint Finished

Civil Rights Enforcement


15th Floor, Strawberry Square
Harrisburg, PA 17120
(717) 787-0822
Fax: (717) 787-1190

2. IF EMPLOYMENT RELATED, WHOM IN MANAGEMENT HAVE YOU INFORMED OF


YOUR COMPLAINT?
DAVID PFLUMM; PFLUMM CONTRACTORS, INC., FEBRUARY OF 1998
WHAT ACTION WAS TAKEN?
NONE
3. DO YOU KNOW OF ANY OTHER INDIVIDUAL (S) WHO HAS BEEN TREATED THE
SAME OR RECEIVED SIMILAR TREATMENT?
NO
WHAT HAPPENED TO THESE INDIVIDUALS?
4. DO YOU HAVE ANY WITNESSES TO VERIFY OR CONFIRM YOUR COMPLAINT?
YES
5. DID YOU SUFFER ANY MONETARY LOSS OR LOSS OF BENEFITS? PLEASE
EXPLAIN
YES
VARIOUS BUSINESS INTERESTS
1.
FINANCIAL MANAGEMENT GROUP,LTD., AND ALL RELATED OPPORTUNITIES
1987
a.
FMG ADVISORY,LTD. REGISTERED INVESTMENT ADVISOR
b.
FINANCIAL MANAGEMENT GROUP,LTD., STOCK AND
OPTIONS AND FRANCHISING OPPORTUNITIES
c.
MORTGAGE BANKING OPERATIONS
d.
VENTURE CAPITAL OPPORTUNITIES
Stan Caterbone

46

9/25/2006 10:13 AM

June 28, 2006 Continued


Wednesday
2.

2:00 PM - 2:30 PM

e.
AVIATION CHARTER BUSINESS AND OPPORTUNITIES
POWER PRODUCTIONS

Hearing District Maj Smith - HIA Parking -- 1281 South 28th Street,Harrisburg,PA 17111

I COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: DAUPHIN
Mag Dist. No
12-2-01
MDJ Name Hon.
MICHAEL J. SMITH
1281 S 28TE ST
HARRISBURG, PA
STAN CATERBONE
220 STONE HILL RD.
COElESTOGA, PA 17516
1 I
NOTICE OF CONTINUANCE
Telephone (717 ) 558-1160 17111
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT: NAME AND ADDRESS
CATERBONE, STAN
220 STONE HILL ROAD
CONESTOGA, PA 17516
Date Filed: 4/24/06
Please note that the hearing in the above captioned case, which was
scheduled to occur on: 6/14/06
has been continued to: June 28th, 2006
2:15 PM
If you have any questions, please contact thls offlce immediatley
Cont~nuancere quested by BURNS, STEVEN G.
If you are disabled and require assistance, please contact the
Magisterial District office at the address above.
5/15/06 Date
My commission expires first Monday of January
CITATION NUMBER: B1270724-0
DATE PRINTED:
05/15/06
9:37:30
AM
DATE CITATION ISSUED: 4/24/06
_________________________________________

June 29, 2006


Thursday
1:00 PM - 1:30 PM

Judicial Complaint Revue Board Letter via mail

Commonwealth of Pennsylvania
Judicial Conduct Review Board
Pennsylvania Place
501 East Chestnut Street
Suite 403
Harrisburg, PA
17101
717-234-7911

Stan Caterbone

47

9/25/2006 10:13 AM

June 29, 2006 Continued


Thursday
June 29,2006
Stanley Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Dear Mr. Caterbone:
This letter will acknowledge receipt of your corrvndence dated June
27,2006, wherein you inquire about your recently filed complaints.
Specifically, you advise "I have no idea which complaint number is
assigned to what complaint" and request
clarification. The following list represents your recently filed
pending complaints:
2006-2 14 (MDJ William G. Reuter)
2006-2 1 5 (MDJ B. Denise Commins)
2006-220 (MDJ Lm H. Eckert, Jr.)
2006-221 (MDJ Stuart J. Mylh)
a 2006-222 (MDJ Maynard A. Hamilton, Jr.)
2006-224 (Judge David Reineker)
I trust this cIarifies any confusion mated by our previous
correspondence with regard to each individual complaint number
assignment.
I remind you the Pennsylvania Constitution provides

June 30, 2006


Friday
1:00 PM - 1:30 PM

Lancaster Co Prison Dismissal Order Appel & Yost

HARRY 8. YOST
JAMES W. APPEL
JOHN L. SAMPSON
KENNETH H. HOWARD
WILLIAM A. WHEATLY
WILLIAM J. CASSIDY, J R .
MAlTHEW G. GUNTHARP
ELAINE G. UGOLNIK
ROBERT W. HALLINGER PETER 8. ASTORINO
ERAOLEYA. ZUKE
RETIRED
T. ROBERTS APPEL. I1
GRETA R. AUL
OF COUNSEL
J. MARLIN SHREINER
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 175 16
LAW OFFICES
THIRlY-THREE NORTH DUKE STREET
LANCASTER. PENNSYLVANIA 17602
(7171 384-0521
FAX(717)431-1664
(emmi0 DonruO@appeIyost.com
June 30,2006
Stone Harbor Police Department
9508 Second Avenue
Stone Harbor, NY 08247
Stan Caterbone

48

9/25/2006 10:13 AM

June 30, 2006 Continued


Friday
ROBERTS R. APPEL 11832-1986)
RALPH W. EBY. JR. (1841-1886)
MERRILL L. HASSEL 11941-1972)
OFFICE AT NEW HOLLAND. PA
142 EAST MAIN STREET
(71 71 354-a1 17
OFFICE AT STRASSURQ. PA
39 EAST MAlN STREET
(7171 687-7071
OFFICE AT QUARRYYaLE.PA
175 OAKBOTTOM RD
(717) 788-31 72
OFF ICE AT EPHRATA. PA
123 EAST MAlN STREET
(7171 733-2104
OFFICE AT CHRISTIANA, PA
4 SADSBURY AVENUE
(810) 593-6740
Patricia J. Bax

July 02, 2006


Sunday
1:00 PM - 8:00 PM

Blondie and Cars Clipper -- Clipper Stadium

July 03, 2006


Monday
1:00 PM - 1:30 PM

Judge Mary McLaughlin Order to Lancaster Co Prison

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE 30 CIVIL ACTION
v.
LANCASTER COUNTY PRISON, et al. : NO. 05-2288
AND NOW, this 36fh of Tune, 2r06, upon consideration of the motion to
dismiss of Lancaster County Prison (Doc. No. 32).
whereas the Court dismissed the complaint as to Lancaster County
Prison on June 12, 2006, and whereas the plaintiff has not filed an
amended complaint, IT IS HEREBY ORDERED that the motion is DENIED as
MOOT.
BY THE COURT:
MARY -A. MCLAUGHLIN, J?

1:00 PM - 1:30 PM

PP&L Shut-Off Notice

July 05, 2006


Wednesday
9:30 AM - 10:00 AM

Hearing Dist Justice M Hamilton 464-4141 -- 324 Beaver Valley Pike, Willow Street,PA 17584

Fiorril lied about waving hands, giving him the finger, with both
hands on wheel, was taking picture, about tailing him 1 to 2 feet
going 45 mph for 1/2 to 3/4 miles, said happened after Amish Store.
Said I said " Go Fuck Yourself".
Judge never questioned Fiorell, just asked why he would lie, I said
because of Law Suits. Questioned why no finger printing, Judge
questioned me about someone stealing picture from computer of Fiorril
Stan Caterbone

49

9/25/2006 10:13 AM

July 05, 2006 Continued


Wednesday
during incident. Questioned me about mattress on Fiorrel roof of
car. Fiorill kept staring at me for long periods of time when I was
on the witness stand, was only 4 feet from me, trying to intimidate
me.
Judge was arrogant and would not listen to a word I said, kept trying
to rush my testimony, and kept trying to intimidate me by supporting
Fiorril. Told him Police Officers can lie to.
_____________________________________________________________________
_________________________________
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE:

9:30 AM - 10:00 AM

Hearing DJ Hamilton Busser -- 324 Beaver Valley Pike, Willow Street,PA 17584

Arrived 8:50 am, did not have a file. Matt Bomberger was already in
office behind the glass window with Hamilton's staff. Asked
Bomberger what his defense was, and told me to go outside, asked him
why he would not meet with me, he said he was out of office Friday
and Monday, and said about wanting to go over the file in the
meeting, reminded him about having the brief due, and that I was not
informed this hearing was on the schedule. I notified staff I had to
go home, walked outside and Busser pulled up, Bomberger said wait the
officer is here, I said I don't care, he said my defense is "you
didn't know what you were doing", I said you better find a better
defense than that.
Got back Officer Eisenhower of West Lampeter told me he had to frisk
me for weapons at the request of the Judge, and frisked me and
emptied my pockets right outside of the courtroom; and Judge
immediately started Hearing, Fired Bomberger because of inadequate
defense, Judge asked about if I knew of ramificati

11:00 AM - 11:30 AM

Call for Chapter 11 Hearing Transcript

July 06, 2006


Thursday
8:00 PM - 8:30 PM

Lancaster County Public Defender Letter to

Stan J. Caterbone
Advanced Media Group
220 Stone Hill Road
Conestoga, PA
17516
July 6, 2006
James J. Karl
Chief Public Defender
Lancaster County Commissioners
Office Of The Public Defender
28 East King Street
Second Floor. Suite 213
Po Box 83480
Lancaster. Pa 17608.3480
Re: Commonwealth v. Stanley Caterbone; OTN # K391399-1
Dear Mr. Karl:
On Wednesday, July 5, 2006 I had to dismiss your Assistant Public
Defender Mr. Matt Bomberger prior to the start of the Preliminary
Stan Caterbone

50

9/25/2006 10:13 AM

July 06, 2006 Continued


Thursday
Hearing scheduled before Magisterial District Judge Maynard Hamilton.
I had asked Mr. Bomberger prior to the start of the Hearing what was
he going to use for my defense, and he replied; You did not know
what you were doing. I asked him to rethink his strategy and come
up with another plan. He refused. He had violated his professional
code of ethics and your mandated authorization to provide me with a
competent legal defense.
I had requested meeting with Mr. Bomberger on numer

July 09, 2006


Sunday
7:30 PM - 8:00 PM

LadyBalcksmith

July 10, 2006


Monday
12:00 AM - 12:30 AM

MDJ Commins East Lampeter Appeal Due

9:00 AM - 10:00 AM

Honda Grace Period Payment Due

1:00 PM - 1:30 PM

Letter from Public Defender

COUNTY COMMISSIONERS
DICK SHELLENBERGER, Chairman
HOWARD "PETE SHAUB
MOLLY S. HENDERSON
COUNTY
OFFICE OF THE PUBLIC DEFENDER
29 EAST KING STREET
SECOND FLOOR, SUITE 213
PO BOX 83480
LANCASTER, PA 17608-3480
TELEPHONE 717-299-8131
JAMES J. KARL
Chief Public Defender
July 10, 2006
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
Re: status of Public Defender representation in your 2 pending cases
Dear Mr. Caterbone:
You have 2 sets of criminal charges pending against you. First, there
are charges that were filed by the East Lampeter Township Police
Department. The charges included harassment, disorderly conduct, and
theft of services. You represented yourself at the preliminary
hearing before Judge Commins. The judge determined that there was a
prima facie case and bound over the charges to the Court of Common
Pleas. They are docketed to Information No. 2843-2006. The next court
proceeding is Arraignment on July 26, 2006, at 9:00 A.M. in Courtroom
A of

Stan Caterbone

51

9/25/2006 10:13 AM

July 11, 2006


Tuesday
9:00 AM - 9:30 AM

Hotelliers Horst & Fairfiled File Suit

2 area hotels file lawsuit over room tax


Targets downtown project
BY P.J. REILLY, Intelligencer Journal Staff
The owners of two Lancaster County hotels on Tuesday filed a lawsuit
claiming the county's hotel room tax is unconstitutional. Horst
Hotels Co., owner of Fairfield Inn by Marriott in Manheim Township,
and Ephrata Motel
Partners, owner of Holiday Inn in Denver, filed the suit in Lancaster
County Court. Named as defendants are the
Redevelopment Authority of City of Lancaster, Lancaster County
Convention Center Authority and Penn Square
Partners. Those three entities are behind plans to build a 300-room
Marriott Hotel and 220,000-square-foot convention center at the site
of the former Watt & Shand department store on Penn Square. Lancaster
County also is named as a defendant. The lawsuit asks that the 1999
county ordinance that established the tax be declared
unconstitutional. It also seeks a permanent injunction preventing the
county from enforcing the ordinance and asks t

6:00 PM - 6:30 PM

Website Hacked - Cannot Edit Site & Statistics Corrupted

Day

Hits
Files
Pages
Visits
Sites
KBytes
_____________________________________________________________________
______________________________
5
3 0. 03%
3 0
.04% 0
0.00%
0 0.0 0%
1
0.57%
19 0 .03%
6
0 0
.00%
0 0
.00% 0 0
.00%
0 0
.00%
0
0.00% 0 0 .00%
7
981 8 .31%
605
7.28% 138
19.80%
22
13.92% 251
4.29%
3759 6.20%
8
1191 10.0%
907
10.92%
120 17.22%
20
12.66% 21
12.00%
4889 8.06%
9
1544 13.08%
1372 16.51% 118
16.93%
45
28.48% 61
34.86%
4260 7.02%
10
5988
50.72%
3790 45.61% 184
26.40%
26
1
6.46% 31
17.71%
38389 63.27%
11
2093 17.73%
1627 19.58% 134
19.23%
42
26.58% 56
32.00%
9316
15.35%
12
7 0
.06%
5
0.06%
3 0
.43% 3
1
.90% 6
3.43%
46
0.08%

July 12, 2006


Wednesday
6:00 AM - 6:30 AM

Website Hacked - Locked Out

From :
<support@sitewebmasters.com>
Sent :
Wednesday, July 12, 2006 1:52 PM
To : amgroup01@msn.com
Subject :
Reply: Site Builder #741810
_____

======== CUT HERE =========


Your support request was answered:
Created: Jul 12, 2006 10:41:58 AM
Last Mod: Jul 12, 2006 10:48:42 AM
Stan Caterbone

52

9/25/2006 10:13 AM

July 12, 2006 Continued


Wednesday
Assigned To:
SiteWebMastersAdmin(Site WebMasters Main Account)
[Jul 12, 2006 10:52:48 AM]
A: It should be working now.

Please try again.

Thank you,
Blair Williams
------------------------------------------------------[Jul 12, 2006 10:41:58 AM]
Q: Locked out of site builder, said if using a Host, Contact Host.
Cannot Edit
Site.
------------------------------------------------------Thank you,
Blair Williams
SiteWebmasters - Tech Support
blair@sitewebmasters.com <http://by104fd.bay104.hotmail.msn.com/cgibin/compose?curmbox=9DB6E842-7C9B-474C-96A8-3BD12D6DC0EE&a=
91c684f035c549da9f063c3e905d2718523e00bd6df932c5190d148fb20211b0
&mailto=1&to=blair@sitewebm

8:00 AM - 8:30 AM
11:30 AM - 12:00 PM

Sheryl Today Show New York


Meeting - Lancaster Country Detective Landis - Hackers

Gave card to receptionsist, told her to tell him he needs specialist


for Hackers, per preveious complaint.
Convention Center Hearing waiting line of 12.

July 13, 2006


Thursday
All Day

Appeal PENN DOT Drivers License Suspension -- Lancaster County Courthouse, 50 N. Duke Street,
Lancaster, PA 17602

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
COUNTY OF LANCASTER
CRIMINAL DIVISION

COMMONWEALTH OF
PENNSYLVANIA:
001

WID 061879283707004
WID 061879283707016

001
CIVIL DIVISION
Vs.
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
Stan Caterbone

53

9/25/2006 10:13 AM

July 13, 2006 Continued


Thursday
717-430-8184

NOTICE OF APPEAL
On this day of July 13, 2006, the Plaintiff, Stanly J.
Caterbone, in the above Notice of Suspensions filed on mail date July
13, 2006 by the Commonwealth of Pennsylvania, Department of
Transportation, Bureau of Driver Licensing, is herby appealing this
decision in the Court of Common Pleas.
The Plaintiff will appeal this decision based on allegations of
retaliatory, political discrimination, and prosecutorial misconduct.
A Brief will be filed as soon as required by the Courts. Federal
Civil Actions 05-2288 and 06-1538 in the United States District Court
for the Eastern District of Pennsylvania, are taking precedent.
The Defendant will als

3:00 AM - 3:30 AM

Citzens Bank Extortion

amgroup01@msn.com Printed: Friday, July 14, 2006 8:08 AM


From :
Advanced Media Group <amgroup01@msn.com>
Sent :
Friday, July 14, 2006 4:41 AM
To : "Bargain Land " <shipping@bargainland.net>,
<danielberger@comcast.net>, "endofauction" <endofauction@ebay.com>,
"GGordon" <GGordon@fult.com>, "High Group" <nfo@high.net>, "Lancaster
County Commissioners " <McCueA@co.lancaster.pa.us>, "Lancaster
Intell" <IntellLetters@lnpnews.com>, "Lancaster New Era"
<neweraLetters@lnpnews.com>, "Mike Caterbone " <mtciidd@aol.com>,
"Owen Kugel " <owenrkugel@juno.com>, "Patrice Dixon "
<HSDuncan@juno.com>, "Patrick Snyder " <psnyder@uncb.com>, "Pete Horn
" <Rhino1818@aol.com>, "Phil " <caterbone@sbcglobal.net>, "Phyllis
Crews " <Phyllis.Crews@richardson.k12.tx.us>, "Ray Sawiski "
<rsawicki@decommunications.com>, "Stan Caterbone "
<amgauctions@comcast.net>, "Sunday Newspapers" <sunnews@lnpnews.com>
Subject :
Lancaster County Banks
Attachment :
AMGWelcomePageforjuly1420.pdf (0.08 MB)
The following

10:00 AM - 10:30 AM

Harleysville Insurance Inspection 220 Stone Hill Road -- Conestoga, PA 17516

See audio tape, went through and took pictures and note for
everything on list, added glasses, chain saw, wireless headset, itc.
McShea Associates, Inc.,
Insurance Adjusters
Suite 2A11
47 Marchwood Road
Exton, PA
19431
717-299-9395
610-524-9393
610-524-2413 fax

1:00 PM - 1:30 PM

MDJ Hamilton Firorill Appeal -- 50 N. Duke St, Lancaster, PA 17602

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
Stan Caterbone

54

9/25/2006 10:13 AM

July 13, 2006 Continued


Thursday
COUNTY OF LANCASTER
CRIMINAL DIVISION

COMMONWEALTH OF
PENNSYLVANIA:

TR-0001010-06
TR-0001011-06
CRIMINAL DIVISION

Vs.
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
717-430-8184

NOTICE OF APPEAL
On this day of July 13, 2006, the Defendant, Stanly J.
Caterbone in the above criminal cases is hereby filing an Appeal by
Trial De Novo in the Court of Common Pleas. The Defendant alleges
that prosecutorial misconduct, discrimination, and obstruction of due
process were committed.
The Defendant will also request that this case be in Forma
Pauperis.

Dated:
July 13, 2006
____________________________
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA
17516
717-431-8184

COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
LANCASTER COUNTY

CERTIFICATE OF SERVICE

Stanley J. Caterbone
Represented

Stan Caterbone

55

9/25/2006 10:13 AM

July 14, 2006


Friday
9:00 AM - 9:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

6:00 PM - 9:00 PM

Ashlee Simpson -- Hershey

9:30 PM - 10:00 PM

Sheryl at Trumps in Atlantic City -- Antlantic City, New Jersey

July 15, 2006


Saturday
All Day

Stan Caterbone

Stan Caterbone's Birthday

56

9/25/2006 10:13 AM

July 16, 2006


Sunday
6:00 PM - 6:30 PM

Lynard Skynad & 3 Doors Down -- Hershey

July 17, 2006


Monday
9:00 PM - 9:30 PM

Sheryl on Larry King LIVE

July 19, 2006


Wednesday
9:00 AM - 9:30 AM

JOSEPH S. SOLOMON 1705 I@ FRONT ST HARISBURG. PA17102 255-1365

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: DAUPHIN
Map. DISI. No:
12-1-03
MDJ Name Hon
JOSEPH 8. SOLOMON
Add'ess 1705 I@ FRONT ST
HAIU(1SBURG. PA
STAH CATERBOME
220 STOME HILL 9.D
CONESTOGA, PA 17516
NOTICE OF TRIAL
SUMMARY CASE
COMMONWEALTH OF
PENNSYLVANIA
VS.
DEFENDANT. NAME and ADDRESS
TCATEBBONE, STAH 1
220 STONE HILL 9.D
CONESTOGA, PA 17516
L _I
Docket No.: TR-0005057-06
7Date Filed: 6/16/06
I I
This court has received your plea of NOT GUILTY to the above summary
violation(s). The sum of $ .OO has been accepted as collateral for
your appearance at trial Your trial has been scheduled as follows:
I1 II I(
You have the right to be represented by an attorney. You have the
right to have any witnesses present. It is your responsibility to
notify your attorney andlor witnesses of this trial date and time.
Date. 7/19/06
Time: 9:00 AM
Should you fail to appear for your trial, a warrant may be issued for
your arrest
Place: DISTRICT COURT 12-1-03
1705 N FRONT ST

July 20, 2006


Thursday
10:00 AM - 10:30 AM

MDJ Banllentine Comcast Civil Action -- 123 Locust Street,Lancaster,PA 17602 299-7974

COMMONWEALTH OF PENNSYLVANIA
COUNTY OF LAMCASTER -Mag DlSt NO .02-2-01
MDJ Name Hon KELLY S. BALLENTINE,ESQ
123 LOCUST ST-REAR
LANCASTER, PA 17602
Stan Caterbone

57

9/25/2006 10:13 AM

July 20, 2006 Continued


Thursday
STANLEY J. CATERBONE
220 STONE HILL ROAD
CONESTOGA, PA 17516
NOTICE OF CONTINUANCE
PLAINTIFF NAME and ADRESS
'CATERBONE, STANLEY J
220 STONE HIL ROAD
CONESTOGA, PA 17516
VS.
DEFENDANT NAME and ADDRESS
COMCAST CABLE, ET AL
Docket No.: CV-0000160-06
Date Filed: 4/27/06
Please note that the hearing in the above captioned case, wfli~hw as
scheduled to occur on: 6/15/06
has been continued to:
If you have any questions, please contact this office immediately.
Date 7 / 2 0 / 0 6 place DISTRICT COURT 0 2 - 2 - 0 1
Continuance requested by: COMCAST CABLE
TIme 10:OO AM
If you are disabled and require assistance, please contact the
Magisterial District office at the address above.
6 / 2 0 / 0 6 Date
My commission expires first Monday of January 2012
DATE PRINTED: 6/20/06 8:51:57 AM

July 21, 2006


Friday
9:00 AM - 10:00 AM

Honda Payment Due

July 23, 2006


Sunday
7:30 AM - 8:00 AM

Fox and Friends Post Truamatic Stress Syndrom with Dr...

July 24, 2006


Monday
All Day

Federal 05-2288 Fulton Bank Response Due

July 25, 2006


Tuesday
1:00 PM - 2:00 PM

PPL Electric Shut-Off -- 220 Stone Hill Road

1:00 PM - 1:30 PM

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION
Stan Caterbone

58

9/25/2006 10:13 AM

July 25, 2006 Continued


Tuesday

Stanley J. Caterbone
Advanced Media Group
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania
:
V.

:
:
:

PPL Electric Utilities


2 North 9th Street
Allentown, PA18101

STATE OF PENNSYLVANIA

:
:

COUNTY OF LANCASTER

: ss

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

COMPLAINT AND NOTICE FOR EXPEDITED HEARING


1.
On or about July 25, 2006, Plaintiff had the electrical service provided by the
Defendant shut-off.
2.
The termination of the Plaintiffs electrical service left the Plaintiff without electrical
service, phone service and Internet broadband service. All of the services are powered by
and require electricity from the Defendant.
3.
On or about April 25th, 2006, the Plaintiff had a meeting in the office of LIHEAP, an
affiliate of the Lancaster County Community Action Program with Ms. Floyd, a case worker.
During that meeting, a representative from PPL Electric Utilities accepted a payment of
$600.00 from LIHEAP and spoke to Plaintiff regarding future payments.
4.
The Plaintiff faxed documentation pertaining to the Chapter 11 Bankruptcy petition,
case no. 05-23059, for verification of the Plaintiffs bankruptcy petition.
5.
The Defendant accepted the documentation and did not make any request for a
payment plan in order to continue electrical service to the Plaintiff, with the understanding that
the Chapter 11 is a reorganization, and the Defendant would ultimately be paid in full.
6.
On or about July 3rd, 2006, the Plaintiff received another 10 Day Shut-Off Notice from
the Defendant.
7.
On or about July 14, 2006, the Plaintiff communicated via facsimile to the Bankruptcy
Department of PPL Electric (484-634-3713) requesting an explanation of why the Shut-Off
Notice was sent.
8.
On or about the week of July 17th, 2006, the Defendant notified Ms. Floyd of the
situation and requested her intervention via email.
9.
The Derendant had a representative call the Plaintiff from the Collections department
and left a message on the Defendants Vonage Internet Voicemail Account.
Stan Caterbone

59

9/25/2006 10:13 AM

July 25, 2006 Continued


Tuesday
10.
The Plaintiff returned the call a few days later to remind the Defendant of the
negotiation and agreement on April 25th, 2006
11.
The representative of the Defendant would adhere to the previous agreement and
notified the Plaintiff that she did not know anything about the previous agreement, nor would
she research the validity of the previous agreement.
12.
The representative demanded that the account be paid in full, and did not entertain
any other plans for payment, which in itself violated the terms and conditions of the Notice To
Shut-Off Service.
13.
The Plaintiff is now without electricity and is further stalled from continuing all litigation
before the Commonwealth of Pennsylvania Common Pleas Court, the United States District
Court of the Eastern District of Pennsylvania, and the United States Bankruptcy Court for the
Eastern District of Pennsylvania.
14.
The Plaintiff is also at further risk to his person, property, and all assets located at 220
Stone Hill Road, due to the fact that the Plaintiff has no emergency phone service.
15.

Dated: July 25, 2006

__________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax

COMMONWEALTH OF PENNSYLVANIA
COMMON PLEAS COURT
LANCASTER COUNTY

CERTIFICATE OF SERVICE

Stanley J. Caterbone represented by Stanley J. Caterbone


220 Stone Hill Road PRO SE
Conestoga, PA 19516
Schedule F
Addendum to Add Creditors to Schedule
Service To:
Comcast Cable
Stan Caterbone

60

9/25/2006 10:13 AM

July 25, 2006 Continued


Tuesday
4008 N. Dupont Hwy
New Castle, DE 19720
Comcast Cable
Susan Gibson
1113 South Duke Street
Lancaster, PA 17602

Certificates of Service were sent by United States 1st Class Mail on July 25, 2006.
By, ________________________________
Stanley J. Caterbone, Pro Se
Stanley J. Caterbone
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax

July 26, 2006


Wednesday
9:00 AM - 9:30 AM

MDJ Comins East Lampeter Preliminary Hearing -- Lancaster County Courthouse

Another Calender Change by Hackers

July 27, 2006


Thursday
9:00 AM - 10:00 AM

PPL Civil Action Filed -- Lancaster County Courthouse

July 28, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
Stan Caterbone

61

9/25/2006 10:13 AM

July 28, 2006 Continued


Friday
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

9:00 AM - 9:30 AM
10:00 AM - 11:00 AM

MDJ Solomon Warrant of Arrest Fine Indegent Due


Filed Informa Pauperis for Southern Regional Police Appeal

to Superior Court

10:00 AM - 11:00 AM

Refiled Fulton Mortgage Judgement to Superior Court -- Lancaster County Courthouse

July 31, 2006


Monday
1:00 PM - 2:00 PM

Emailed Jen from Tees Computer was hacked

August 01, 2006


Tuesday
9:00 AM - 10:00 AM

File East Lampeter Appeal Documents

10:00 AM - 11:00 AM

File Harleysville Civil Action

August 03, 2006


Thursday
8:00 PM - 9:00 PM

Barnstormers Game

Talke to Dick Shellenberger about Convention Center and Brunswick, he


said about Marylinn doing Watt and Shand and Meetina and Conference
Center at Brunswick, told hme about Intellectual property rights.

Stan Caterbone

62

9/25/2006 10:13 AM

August 03, 2006 Continued


Thursday
10:00 PM - 11:00 PM

Alley Kat Bar -- 28 W Lemon Street, Lancaster,PA 17603

Sheryl Look alike (Andrea-Allisa-? tall), Wickenheiser,Dino D. Jimmy,


Al Mongeou,McCaskey '84,

August 04, 2006


Friday
1:30 AM - 2:30 AM

Southern Regional Police -- Pine View Dairies

Notice car tailing me on New Danville Pike, put left turn signal on
to pull into Pine View Dairies, Police Lights went on after I started
to pull into parking lot. got out of car and put my hands in air and
said "take me in", they ordered me back into the van, and I locked
all doors. They wanted my drivers license, I said call the State
Police. Would not let them in, eventually busted out passenger side
window. Opened my door,and threw me to ground, handcuffed me and
emptied pockets. Kept asking why the pulled me over after I turned
into parking lot, would not respond. Put me into cruiser and let me
sit for about 20 or 30 minutes. Present was cramer, west lampeter
Eisenhowser, and two others. said my van would be towed, and took me
to SRPD presinct. gave me breathelyzer, passed .076 and .073. Went
through a bunch of bullshit, gave me a tape of my breathelyzer and
said I would get something in the mail. took me home to 220 stone
hill.

8:00 AM - 9:00 AM

Custom Classics` -- Stone Hill Road

Said no van, did not recieve any call from SRPD.

8:15 AM - 9:15 AM

Pine View Dairies -- New Danville pike

No van.

8:30 AM - 9:30 AM

Soutern Regional Police Department -- Conestoga

Busser said they called Custom Classics and van was there, I said he
was lying, and he went inot his you better settle down mode, I walked
out and said I was goint to the Lancaster County DA Office.

9:00 AM - 10:00 AM

Prothonetaries Office -- Lancaster County Courthouse

Asked for copies of all files from past 10 days.

9:15 AM - 10:15 AM

Sue, short hair.

Conngerssman Joe Pitts Office -- Lancaster County Courthouse

Requested meeting with receptionist, said about DOD and CIA, as for
Federal Agencies, and told her to mail me the meeting schedule.

10:00 AM - 11:00 AM

District Justice Commins Office -- Leola

Asked if I had a Meeting, gave me a schedule for August 15

10:00 AM - 11:00 AM

Lancaster County Commissioners Office -- Lancaster County Courthouse

Scheduled meeting with Dick Shellenberger with secretary, she said


should be free in about 20 minutes, I said I would stop back

Stan Caterbone

63

9/25/2006 10:13 AM

August 04, 2006 Continued


Friday
11:00 AM - 12:00 PM

District Justice Simms -- Walnut and Queen Strteets

Asked if I had a Hearing, said today at 3:00 for Lancaster City


Police Littering citation

August 08, 2006


Tuesday
1:30 PM - 2:15 PM

Jucicial Conduct Review Board -- Pennsylvania Place, Harrisburg, PA

Filed agianst Georgelis for Sothern Regional Informa Pauperis,


Hearing, taking case from Madenspacher, Dening without reason,
vacating denying and then granting appropval.

August 09, 2006


Wednesday
9:00 AM - 10:00 AM

IFP Hearing -- Lancaster County Courthouse

Sherrif would not let me sit at table, showed me a memo that said all
Pro Se Litigants were not allowed to approach tables untile Judge
enters courtroom, then changed mind. A man sat at opposite table,
and i asked who he was and he said he was Shawn Long, rep Fulton
Bank, and I asked what he was doing there, he said he was the
Plaintiff, I asked what proceeding this was, Sherrifs gave me a
bunch of shit, I gathered my laptop and files and walked out before
Judge entered and started whatever it was. Before exiting, I told
Sherrif I filed yesteday at the Judicial Conduct Bard.

August 10, 2006


Thursday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

August 11, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
Stan Caterbone

64

9/25/2006 10:13 AM

August 11, 2006 Continued


Friday
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

1:00 PM - 2:00 PM

Mike Sturla -- Outside Soverign on Duke Street

wanted meeting, said he was going on vacation next week.

August 14, 2006


Monday
5:00 PM - 5:30 PM
8:00 PM - 9:00 PM

Southern Regional Police Suit Amended Complaint Due


Lancaster Convention Authority Public Meeting -- Chamber of Commerce Building, Lancaster

Saw Chalie Smithgall going in, would not say much of anything, very
hostile. Talked to Kurt LydellL.....Irex, asked if he rented from
Dad, was very evassive, wou33 not say no, could not remember; talked
to Ted Darcus about Leonard B., and Big Five game, would not make a
commitment on Convention Center, said he would call me, gave card.
Talked to Jack Buchwalter and Caroline Steinman, asked about Paula's
Health, said could not remember who she was or if she ever worked at
LNP, Caroline daughter kept interupting; told Jack we need to meet
re: Fed 05-2288 and said I was going to amend and might add to civil
action, he told me to call him.
Mike Sturla, he scheduled meeting with me for 12:30 next day.
him last week he said was going on vacation all week.

told

August 15, 2006


Tuesday
12:30 PM - 1:30 PM

Meeting with Mike Sturla -- Griest Building, Lancaster Square

Receptionist was not very nice, very smart, said she grew up with
some Caterbone, knew Tut Arcudi, asked to sign petition, said she
would not, said other ways to change, did not think any changes need
to be done, Kept calling Mike, meeting was scheduled on her computer
for time.
Mike - talked about painting, his construction company, downtown,
Stan Caterbone

65

9/25/2006 10:13 AM

August 15, 2006 Continued


Tuesday
Academy of Music project; money for project, said it was closer, but
would not give firm commitment if project is a go; gave him my appeal
for Southern Regional Police and asked for some help, said he would.

2:00 PM - 3:00 PM

Nevin Cooley -- Walking Downtown on South Queen, at Griest

SAid working on project, and said it was closer.

Was in a rush.

August 16, 2006


Wednesday
8:00 AM - 9:00 AM

Gib Armstrong Office -- 144 Christian Street

Requested meeting, gave a copy of SRPD appeal to Superior Court,


talked to Bob Thompson for about 1/2 about Convention Center and
Media, secretary gave me a hard time about owner of Brunswick, and I
walked out, she said he was.......

11:00 AM - 12:00 PM

Got Notice at 11:15 for 11:00 Emergency PP& L Hearing -- Reading, PA

Recieved Notice from Judge Fehling for emergency Hearing for today,
in my mailbox at 11:15 when Hearing was for same day, Aug 16 2006.
Either Conestoga Post Office held the Notice, or Clerks mailed the
Notice late!

11:30 AM - 12:30 PM

Message ForAtty Gen Gonzales to Secret Service -- Host Farm Resort

Gave card to Bush Secret Service and told the to tell Atty General
Gonzales to call regarding Fed False Claims Act, ISC Whitleblowing
outside Host .
Told East Lampeter Policman to send all evidence to DA.

1:30 PM - 2:30 PM

Requested Meeting with Arlen Sepctor Office -- Fed Courthouse Harrisburg

told staffer to ask Arlen for a meeting.

2:00 PM - 3:00 PM

Said he would call back

FBI to see Fox -- FBI Office Harrisburg

Asked to see Agent Fox, who I met with in May, said no Agent by that
name.
Talked to another Agent, middle age balding, white shirt &
tie, 5'7' - told we have a problem, gave him a copy of Fed 05-2288
Motion for Continuence filed on Monday.

August 17, 2006


Thursday
9:30 AM - 10:00 AM

Meeder Meeting with John Meeder Excelsior Place -- Medder Office

18 to 20 million for block, mixed use. Vague, interested in talking to Ralph.


9:30 PM - 10:30 PM

Meeting with Ralph Mazzochi -- Ryder Avenue

talked about Excelsior Place, liked to do Gallo, talked about Mazzi,


said I would schedule a meeting with Hamid and Brunswick.

11:00 PM - 12:00 AM

Cathy Caterbone and Ralph -- Velentinos Cafe, Ryder Avenue, Lancaster

Cathy said, "now don't get mad, you are going to get mad - asked if I
was taking medicine, asked her why and she started to back track and
Stan Caterbone

66

9/25/2006 10:13 AM

August 17, 2006 Continued


Thursday
said vitamins, said how much weight I lost - talked to John, did not
say anything on Cathy cell phone, was not nice, took Cathy to Turkey
Hill and home, went in for a minute, saw Angel's daughter and Cathys
in living room on couches, Played some of Sheryls music on Ipod, told
her about Sheryl, she kept wanting to hug me, I made an excuse to
leave asap, invited me to some family reunion on Saturday, said she
did not have a date.

August 18, 2006


Friday
3:15 PM - 4:15 PM

Hearing MDJ Commins - 2 Girls walking -- Giest Road, Lancaster, PA

Fedor on Prosecution table; did not swear in first gilr, blonde, did
not live in Conestoga, kept lying, said went past her 5 times, and
was afraid from being out in the country, said I harrassed her, was
lying about where she was walking, frustrating to cross with all
lies; 2nd witness lied about the time, place and calling police, I
closed files, Judge kept lying about procedure, when Fedor got to
stand, asked to leave and go to bathroom, could not tolerate hearing
his lies, I would not testify, wastse of time. thought it was a
preliminary hearing, Judge would not give me time to prepare for
case, said it was a summary hearing, I only picked up file right
before Hearing started. Ruled Guilty.
Fedor stood guard at door, I asked her what he was
out to other side of door. Judge said she just got
wanted to hold a pre arraignment hearing, I said I
for the DUI from SRPD, I said I recieved no notice
for that day, I

doing, he stepped
paperwork, and
never heard of it,
of another hearing

August 21, 2006


Monday
9:00 AM - 10:00 AM

Honda Payment Due

10:00 AM - 11:00 AM

Visit Russell Pugh, Matt Samley, -- 120 N. Shippen Street,Lancaster

Heather Smith receptionist; ordered file from Matt Samley from 1998
legal opinion, and Tommy's bankruptcy and Estate file.
Russel Pugh, criminal defense solicitation; met for 1 hour free
consultation; said irregularity with DUI and under limit, said should
have been given sobriety test; unlawful arrest, questioned civil
action, wanted file, said defended Tabatha Buck, said Lambert did it,
told him about prosecutorial and affadavit, kept asking me what I had
to do with Lambert Hearing, kept telling him I signed and filed an
affadavit. said wanted to represent me, said he wanted money,
offered stock, said I would not pay a fee.
told him about whistle
blowers filing.

2:00 PM - 3:00 PM

Visit Hamid at Brunswick -- Brunswick Hotel, Lancaster,PA

Said he was on vacation for 10 days, did not get Ralph's stuff;said
he was only leasing space; N. Queen and Chestnut Streets 12.50/sq ft
(10,000), plus all utilities; kept telling me that Lancaster City was
revitalizing Lancaster Square; would not tell me who proposed the
project, said it was coming later, kept telling me "do you know Binns
Park", kept repeating; was very hostile this meeting, said space
above was for lease, 30,000 sq ft ; 2 movie theaters, said was
Stan Caterbone

67

9/25/2006 10:13 AM

August 21, 2006 Continued


Monday
interested but will not go back to him.

August 23, 2006


Wednesday
4:30 PM - 5:30 PM

Called PA Civil Rights Dept

Returned phone call to Mr. ...., he wanted me to summarize my


complaint, I said about Whistleblowers complaint, he kept trying to
get me to summarize, I told him I wasn't in private, he kept
pressuring me, I said I'll call next week, he got mad, and I said I
would talk to Rendell that evening, I told him to put something in
writing, he said complaint was too long and involved. I said Tuesday
at 3:00 pm I would call him back if I could get to a phone

6:00 PM - 7:00 PM

visit with Gov Ed Rendell at Campaign event -- Binns Park, Lancaster, PA

Interuppted him with a reporter and tape recorder as he left the


stage, he shook my hand,he said something about he did not have a
Civil Rights department, I said in the Attorney General Office, he
said something about an elected official. I left and went to sit
down, then got out a card and went back and gave it to him down
closer to Queen Street.

7:00 PM - 8:00 PM

Put Petion on Lois Herr's Table -- Binns Park

Put petition on table with other Democrats to get signatures, about


10 other petitions were there to sign, people were signing multipe
petitions. Ms. Oter... kept moving mine to back, I asked Mr Chapman
where I could get my petition the next day, everybody at table lied
about where the Democratic Office was. I stayed around table and Ms.
Connie...and another woman came up to me with my petition and I said
I was a registered Democrat, and I said here is my voter
registration, they got mad when I showed it to them, and kept trying
to harrass me, and told me they did not want to leave my petition for
signitures, I said fine and took it back with 2 signatures on it.
They kept harrassing me and I told them at least twice to stay away
from me and warned them they were harrassing me, then left and told
the 2 lancaster City Police Officers, and they belittled me and I
left.

August 24, 2006


Thursday
3:00 AM - 4:00 AM
3:30 AM - 4:30 AM

Getty Robbed complained to Lancasster City Police re 1250


Girl at 1250 Fremont stalking and harrassing

looked like she pretended to walk out of Billy P house,moved car so I


could park, got out of car and looked wiered; I drove to back to park
in alley, she followed me and pulled up behind me and got out of car
and kept approaching me and talking, I told her she doesn't belong
here, and she said she was looking for "Lefty her cousin" she kept
trying to get close to my door, I told her to leave and folloed her
down to Hershey avenue.

Stan Caterbone

68

9/25/2006 10:13 AM

August 24, 2006 Continued


Thursday
10:00 AM - 11:00 AM

Filed Notice of Defaults Harleysville and Mike -- Lancaster County Courthouse

August 25, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

6:00 AM - 7:00 AM

Payment for Website Due -- Webmasters online

2w

4:45 PM - 5:45 PM

Phone Call to PP&L Attorney M. Henry -- Ric Miller, Whetland Park Road, Lancaster, PA

Talked to Mr. Henry about scheduling conference via telephone as


instructed, said that Judge Fehling said I could reschedule hearing
at anytime, I said that is not what the Order said, he said the
transcript said that I could.
He told me to call PP&L about a repayment plan to get my electricity
Stan Caterbone

69

9/25/2006 10:13 AM

August 25, 2006 Continued


Friday
turned on, I asked him what he meant, he kept telling me I would have
to call PP&L, I said what do you do for yhour money, he said he was
a lawyer - I hung up phone. 3 Federal Judges, and at least 3 Orders,
and countless hours of legal time to tell me to call PP&L.

6:00 PM - 9:00 PM

Crosby,Stills,Nash,and Niel Young -- Hershey Stadium

Crosby, Stills, Nash & Young


Type of Event:
Concert
Show
Entertainment
Venue:
Hershey

HERSHEYPARK Stadium

Event Date(s):
8/25/06
Event Time(s):
8:00 PM
On-Sale Date:
5/8/06
On-Sale Time:
10:00 AM
Admission:
$176.00, $126.00, $76.00, $56.00 and $38.50
Processing fee applies
**8 Ticket Limit**
Parking fee applicable
Event Details:
The group will tour with no opening act, and the
show will spotlight an extended set from CSNY as in their previous
outings. The show will include their classic work together as well as
favorites from their storied individual careers.
CSNYs almost four-decade long musical connection is one of the most
influential and enduring collaborations in contemporary music. When
they first came together as a quartet in 1969, each member brought a
pedigree from another formidable bandCrosby from The Byrds, Nash
from The Hollies, and Stills and Young from Buffalo Springfieldand
their synergy together brought them to new hei

August 28, 2006


Monday
4:30 AM - 5:30 AM

Made Complaint 2 Lancaster City Police Cruisers -- alley behind ryder avenue

Told them for the 4th time about 1250 fremont street, told them that
a desk sergeant told me they were going to send someone over to talk
to me when I was in the station Sunday morning to complain about
people around house and stealing from 1250 Fremont Street
Heavy dose of chlorophorme in car, heavidest in a while, had to
vacate car in Turkey Hill parking lot at Columbia avenue and ryder
avenue.

August 29, 2006


Tuesday
8:15 AM - 9:15 AM

Weis Markets tried to rip me off again -- Manor Shopping center

overcharge for sausage, would not recognize red discount sticker that
said .94, was cut in half. ...Dunkel gave me it for free, went to
Customer Service counter for refund, and put sausage at end of
counter, I noticed that I did not have the sausage as I was about to
walk out, went back and got sausage,
Stan Caterbone

70

9/25/2006 10:13 AM

August 29, 2006 Continued


Tuesday
I have Weiss empolyees trying to overcharge me everytime at every
Weis Markets.

11:15 AM - 12:15 PM

Election Board Office -- N. Queen Street, Lancaster PA 17603

Met at reception area by McClane, wanted me to be 200th


signature,from Millersville, talked about representative gov v.
democracy; signed his and he signed mine, did not want to take card.
Went to deliver petition, asked for additional forms, I said someone
stole the file, gave me anoterh set; woman said you need 200
signatures, I said I had people trying to interfere with me getting
signatures, 2 women said we better... and went to get another woman.
Woman said you need 200 I said can't I file a complaint? she said
well you could put something in writing, looked suspicious, I left
petition on counter and said I have to make a phone call and left.

3:00 PM - 4:00 PM

Call Civil Rights Dept Investigator in Harrisburg -- PA Attorney general's Office

August 30, 2006


Wednesday
6:00 PM - 7:00 PM

Drivers License Siezed by Millersville Boro Sieze License

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Stanley J. Caterbone
Advanced Media Group
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania
:
V.

Civil Action No. ________

:
:

Millersville Borough Police Department


Michael K. Schaefer
10 Colonial Avenue
Millersville, PA 17551
:
STATE OF PENNSYLVANIA

:
:

COUNTY OF LANCASTER

Stan Caterbone

: ss

71

9/25/2006 10:13 AM

August 30, 2006 Continued


Wednesday
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION
COMPLAINT
1.
On or about August 30th 2006, at approximately 6:00 pm; the Defendant pulled the
Plaintiff over on Wabank Road, Lancaster, Pa; which was out of the jurisdiction of the
Millersville Borough Police Department. The Plaintiffs 2005 Honda Odyssey was
approximately 165 yards from the 35 mph speed limit sign on the west side of Wabank Road
at the north end of the Brenners Quarry lot.
2.
The Defendant was directly behind the Plaintiff at the intersection of Cottage Avenue
and Millersville Road; stopped at the red light.
3.

The Defendant illegally detained the Plaintiff and his vehicle.

4.
The Defendant illegally Seized the Pennsylvania Drivers License 18195782 and
Vehicle Registration Card; and did so knowing that the Plaintiff provided proof of Appeal
currently in Commonwealth Court.
5.
The Defendant failed to acknowledge any explanation or statement that would have
prevented the seizure.
6.
The Plaintiff filed an appeal to Superior Court and received a Notice from Penn DOT
providing instructions for the Appeal process, which automatically vacates the previous
suspension the Plaintiffs Drivers License.
7.
The Defendant illegally seized the Plaintiffs vehicle and turned it over to the
jurisdiction and possession of the St. Denis Towing Company, of Mount Joy, Pa.
8.
The Defendant totally took all access to the Federal, State, and Local courts and took
away the Plaintiffs right to due and fair process by illegally taking away his only means of
transportation.
9.
The Defendant took the Plaintiffs access to his mail at his residence at 220 Stone Hill
Road, Conestoga, PA 17516.
10.
The Defendant interfered with the Plaintiffs Business Operations and Contracts and
literally brought the activities to a standstill.
11.
On or about April 21, 2006, the Plaintiff filed a stolen item report ($743.00 Cash) to
the Defendant stating the following: I am hereby formally and officially requesting a copy of the
above incident report concerning stolen case for my current litigation with Lancaster General
Hospital (Docket No. CI-06-03401) and Southern Regional Police Department (Docket No.
CI-06-03401) both in the Commonwealth Court of Common Pleas.
12.
The Defendants actions can be seen as retaliatory in nature and an affirmation of the
Defendants support for the Corrupt activities and Harassment of Officer Busser of the
Southern Regional Police Department.

Stan Caterbone

72

9/25/2006 10:13 AM

August 30, 2006 Continued


Wednesday
Dated: September 1, 2006
__/s/ Stanley J. Caterbone________
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

CERTIFICATE OF SERVICE

Stanley J. Caterbone, Pro Se


Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/
Service To:
Millersville Borough Police Department
Michael K. Schaefer
10 Colonial Avenue
Millersville, PA 17551

Certificates of Service were sent by United States 1st Class Mail on September 1, 2006.
By, __/s/ Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/
Stan Caterbone

73

9/25/2006 10:13 AM

August 30, 2006 Continued


Wednesday
IN FORMA PAUPERIS

1. I am the plaintiff in the above matter and because of my financial condition am unable to
pay the fees and costs of prosecuting or defending the action or proceeding.
2. I am unable to obtain funds from anyone, including my family and associates, to pay the
costs Litigation.
3. 1 represent that the information below relating to my ability to pay the fees and costs is true
and correct:
(a) Name:
Stanley J. Caterbone
Address:
220 Stone Hill Road, Conestoga, PA 17516
Social Security Number: 200-46-0959
(b) Employment

If you are presently employed, state

Employer:

Advanced Media Group

Address:

220 Stone Hill Road, Conestoga, PA 17516

Salary or wages per month: $0.00 Currently in Litigation See Notes


Type of work:
If you are presently unemployed. state
Date of last employment:
(c) Other income within the past twelve months Relationship:
Business or profession: Advanced Media Group has no income at this time
See Bankruptcy Petition 05-23059, U.S. District Court For The Eastern District of
Pennsylvania Civil Actions 05-2288 and 06-1538
Other self-employment:
Interest:
Dividends:
Pensions and Annuities:
Social Security benefits:
Support payments:
Disability payments:
Unemployment compensation and supplemental
benefits:
Workman's compensation:
Public assistance:
Food Stamps approx $155.00
Other:
(d)
Other Contributions to household support
(Wife)(Husband) Name: ______________________
If your (wife)(husband) is employed, state
Employer:
Salary or wages per month:
Type of work:
Contributions from children:
Contributions from parents:
Othcr contributions:
(e)- Property owned:
Cash:
Checking Account:
Stan Caterbone

$.00
$-445.00
74

9/25/2006 10:13 AM

August 30, 2006 Continued


Wednesday
Savings Account:
Certificate of Deposit
Real estate (including home):
Motor vehicle
Make :
Cost :

$155,000.000
Dodge Pick Up , Year 1991
-,
$2700.00
Amount Owed $ 0.00

Stocks; bonds: 9996,000 shares Advanced Media Group Non Marketable Securities These
shares are subject to litigation in the United States District Court for the Eastern District of
Pennsylvania Civil Action 05-2288, there is no tangible value to the Plaintiff until this case is
completely adjucated
Other:
(f) Debts and obligations
Mortgage:
$89,000
Rent:
Loans: Credit Cards - $40,000 Yolanda Caterbone - $30,000
Other:
$5,000.00 current accounts payable
(g) Persons dependent upon you for support
(Wife)(Husband) Name:
Children, if any:
Name:
Age:
Date of last employment:
Salary or wages per month: Other persons:
Type of work: Name:
4. I understand that I have a continuing obligation to inform the court of improvement in my
financial circumstances which would permit me to pay the costs incurred herein.
5. I verify that the statements made in this affidavit are true and correct. I understand that false
statements herein are made subject to the penalties of 18 Pa:C.S. , relating to unsworn
falsification to authorities.
Date: ________________________

_/s/ Stanley J. Caterbone


Petitioner

(i) The Praecipe required by subdivision (d) shall be substantially in the following form:

PRAECIPE TO PROCEED IN FORMA PAUPERIS

To the Prothonotary:
Kindly allow , Stanley J. Caterbone (Plaintiff), to proceed in forma pauperis.
(i) I, Stanley J. Caterbone, attorney for the party proceeding in forma pauperis, certify that I
believe the party is unable to pay the costs and that I am providing free legal service to the
party.
(j) If, simultaneous with the commencement of an action or proceeding or the taking of an
appeal, a party has filed a petition for leave to proceed in forma pauperis, the court prior to
acting upon the petition may dismiss the action, proceeding or appeal if the allegations of
Stan Caterbone

75

9/25/2006 10:13 AM

August 30, 2006 Continued


Wednesday
poverty is untrue or if it is satisfied that the action proceeding or appeal is frivolous.

Dated: September 1, 2006


By, __/s/ Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
http://www.amgglobalentertainmentgroup.com/
mailto:amgroup01@msn.com

August 31, 2006


Thursday
9:00 AM - 10:00 AM

Chapter 11 Transcript Hearing -- Reading, PA

9:00 AM - 10:00 AM

Chapter 11 Transcript Hearing -- Reading, PA

September 01, 2006


Friday
9:00 AM - 10:00 AM

Chapter 11 Brief Due for U.S. Trustee Conversion Motion

12:00 PM - 1:00 PM

Sheryl red

September 02, 2006


Saturday
5:00 PM - 5:30 PM

Pat Dixon, Ana Gianapolis and 2 others -- Cafe next to Manor Cinemas

Gave 4 to project hope, talked about Pat's dilema, asked if I was going to support her and
SDL???

September 05, 2006


Tuesday
8:00 AM - 3:00 PM

Ms. Collier, PA Public Welfare drop off letter for Special Exception

www.amgglobalentertainmentgroup.com
amgroup01@msn.com
717.731.8184 Phone
717.427-1621 Fax
Stan Caterbone
Advanced Media Group
Stan Caterbone

76

9/25/2006 10:13 AM

September 05, 2006 Continued


Tuesday
220 Stone Hill Road
Conestoga, PA 17516
September 5, 2006
Ms. Wiggins
Lancaster County Assistance Office
832 Manor Street
P.O. Box 4967
Lancaster, PA 17604
Re: 200-46-0959
Special Needs Allowance
I stopped into the Manor Street office today to see you and I was instructed by your
Supervisor, Ms. Collier to write
you this note.
I am hereby requesting Red Rose Transit Bus Tokens for the purpose of commuting on a daily
basis to the
downtown area for job and work related activities. I require Internet access at the Lancaster
County Library for my
Resume Replies with Monster.com, to communicate with other sources for income, and to use
my email account.
I also require transportation to regularly attend the Lancaster County Courthouse for the many
hearings, filings, and
research that my present court cases demand.
I have no other means of transportation and have no available cash funds to purchase any bus
tokens.
Could you please expedite this request?
Stanley J. Caterbone

9:00 AM - 9:30 AM

Ms. Collier, PA Welfare Office -- Lancaster County Assistance, Manor Street

She said to write a request for Special Allowance for Bus Tokens

September 07, 2006


Thursday
9:00 AM - 10:00 AM

Hearing - MDJ Commins SRPD DUI

September 08, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
Stan Caterbone

77

9/25/2006 10:13 AM

September 08, 2006 Continued


Friday
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

September 09, 2006


Saturday
3:00 PM - 3:30 PM

Ben Roda Visit -- 93 Pilgrim Drive, Millersville, PA 17551

Advanced Media Group


Stanley J. Caterbone.

PRAECIPE

vs.

Mr. Benjamin Roda, In the Court of Common Pleas of Lancaster County


September 11, 2006

No
COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

Advanced Media Group


Stanley J. Caterbone
Stan Caterbone

78

9/25/2006 10:13 AM

September 09, 2006 Continued


Saturday
220 Stone Hill Road,
Conestoga, PA 17516
County of Lancaster, Pennsylvania
:
:
V.

CIVIL ACTION NO.

:
Mr. Benjamin Roda
63 Pilgrim Drive
Millersville, PA 17551
717-842-6341
:
:
STATE OF PENNSYLVANIA

:
:

COUNTY OF LANCASTER

: ss

COMMONWEALTH OF PENNSYLVANIA
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION
COMPLAINT
1.
On September 9, 2006 at approximately 3:07pm Plaintiff did enter the residence of the
Defendant for a cordial and friendly visit. The Defendants brother, Mr. Dominick Roda,
suggested it on September 7th, that the Plaintiff stop by for a visit.
2.
During that visit the Defendant did engage in slandering, defaming, and libeling the
Plaintiff on several occasions.
3.
The Defendant accused the Plaintiff of extorting approximately $4,700.00 from
Yolanda Caterbone by stating that the Judgment that the Plaintiff was awarded for
construction services (1250 Fremont Street, Lancaster, Pennsylvania) was done through
fraudulent means. The Defendant declared that the Plaintiff performed such services without
the permission or consent of the owner of, Yolanda Caterbone. That is completely and utterly
false.
4.
A District Court awarded judgment in a Civil Action (CV-0000207-05) where that
argument was never even raised by Yolanda Caterbone or any of her representatives. It took
the Plaintiff approximately 16 months and the threat of executing on a lien on the property
(1250 Fremont Street, Lancaster, Pennsylvania) to collect the judgment award.
Stan Caterbone

79

9/25/2006 10:13 AM

September 09, 2006 Continued


Saturday
5.
The Defendant also declared that it was now the Plaintiffs responsibility to provide
elderly care for the Plaintiffs Mother, Yolanda Caterbone (the Defendants sister), contributing
to nothing less than psychological harassment and mental duress. Yolanda Caterbone has
been residing in Florida since November of 2004.
6.
The Defendant also declared and emphatically stated that everyone lies to you
because you are sick, thus suggesting and declaring that the Plaintiff is suffering from mental
illness. The Plaintiff interpreted everyone to mean all of the law enforcement officers that
fabricated the criminal charges now pending before the Commonwealth of Pennsylvania.
7.
The Defendant alleged that the seizure of the Plaintiffs drivers license was both lawful
and deserving and disputed the Plaintiffs declaration of prosecutorial misconduct associated
with the citations used to suspend the Plaintiffs drivers license
(.TR-0001010-06;TR-0001011-06 filed by Southern Regional Police Chief Fiorill and the
Appeal by Trial de Novo filed on July 13 in the Court of Common Pleas).
8.
The Defendant has had no personal contact with the Plaintiff since the spring of 2005,
and such a declaring statement was only meant to discredit the Plaintiff and the Plaintiffs civil
actions against Fulton Bank. (United States District Court for the Eastern District of
Pennsylvania CA-1535;05-2288;06-3399;05-3689, United States Bankruptcy Court 05-23059,
Commonwealth Court of Common Pleas 06-02271).
9.
The Defendants son, Mr. Craig Roda, is the President of Fulton Bank, and the
Defendants son-in-law, Mr. Phillip Wenger, is the President of Fulton Financial Corporation, of
Lancaster, Pennsylvania.
10.
In the spring of 2005, again at the residence of the Defendant, the Defendant also
engaged in a hostile conversation with accusations that the issues raised in the Plaintiffs civil
actions against Fulton Bank were directly related to the actions of Mr. Craig Roda. The
Defendant also denied his son, Mr. Craig Roda, never made the hostile and harassing
telephone call in February of 2005, immediately following a meeting with the then President of
Fulton Bank, Mr. Phillip Wenger. The meeting was arranged by Mr. Smith, then Chairman and
CEO of Fulton Financial Corporation for the purpose of resolving the Plaintiffs allegation later
raised as causes of actions in the civil actions that were later filed.
11.
At that time of the preceding, the Plaintiff had not filed any civil actions in any courts
against Fulton Bank. The first civil action against Fulton Bank was not filed until May 16, 2005
in the United States District Court for the Eastern District of Pennsylvania.

12.
The Plaintiff seeks to have the courts place a cease and desist order against the
Defendant and the Defendants family from engaging in such damaging accusations.

Dated: September 11, 2006


__/s/ Stanley J. Caterbone________
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/
COMMONWEALTH OF PENNSYLVANIA
Stan Caterbone

80

9/25/2006 10:13 AM

September 09, 2006 Continued


Saturday
COURT OF COMMON PLEAS
LANCASTER COUNTY
CIVIL DIVISION

CERTIFICATE OF SERVICE

Stanley J. Caterbone, Pro Se


Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/
Service To:
Mr. Benjamin Roda
63 Pilgrim Drive
Millersville, PA 17551
717-842-6341

Certificates of Service were sent by United States 1st Class Mail on September 11, 2006.
By, __/s/ Stanley J. Caterbone
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
717-431-8184
717-427-1621 Fax
mailto:amgroup01@msn.com
http://www.amgglobalentertainmentgroup.com/
IN FORMA PAUPERIS
Petition and Affidavit of Financial Status
(Pennsylvania Rules of Procedure Rule 240)

1. I am the plaintiff in the above matter and because of my financial condition am unable to
pay the fees and costs of prosecuting or defending the action or proceeding.
2. I am unable to obtain funds from anyone, including my family and associates, to pay the
costs Litigation.
3. 1 represent that the information below relating to my ability to pay the fees and costs is true
and correct:
(a) Name:
Stanley J. Caterbone
Stan Caterbone

81

9/25/2006 10:13 AM

September 09, 2006 Continued


Saturday
Address:
Social Security Number:
(b) Employment
Employer:
Address:

220 Stone Hill Road


200-46-0959

If you are presently employed, state:


Advanced Media Group, Owner
220 Stone Hill Road, Conestoga, PA 17516

Salary or wages per month: $0.00 Currently in Litigation See Notes


Type of work:
If you are presently unemployed. state
Date of last employment:
(c) Other income within the past twelve months Relationship:
Business or profession: Advanced Media Group has no income at this time
See Bankruptcy Petition 05-23059, U.S. District Court For The Eastern District of
Pennsylvania Civil Actions 05-2288 and 06-1538
Other self-employment:
Interest:
Dividends:
Pensions and Annuities:
Social Security benefits:
Support payments:
Disability payments:
Unemployment compensation and supplemental
benefits:
Workman's compensation:
Public assistance: Food Stamps approximately $154.00 per month
Other:
(d)
Other Contributions to household support
(Wife)(Husband) Name: ______________________
If your (wife)(husband) is employed, state
Employer:
Salary or wages per month:
Type of work:
Contributions from children:
Contributions from parents:
Other contributions:
(e)- Property owned:
Cash:
$0.01
Checking Account: $-301.00 $-74.00
Savings Account: $0.00
Certificate of Deposit
$0.00
Real estate (including home):
Motor vehicle

$165,000.000
Make: Dodge Pick Up , Year: 1991
Cost:
$2,700.00
Amount Owed $ 0.00

Stocks; bonds: 9996,000 shares Advanced Media Group non marketable securities these
shares are subject to litigation in the united states district court for the eastern district of
Pennsylvania civil action 05-2288, there is no tangible value to the plaintiff until this case is
completely adjucated.
Other:
(f) Debts and obligations
Stan Caterbone

82

9/25/2006 10:13 AM

September 09, 2006 Continued


Saturday
Mortgage:
Rent:
Loans: Credit Cards Other:

$97,000
$40,000 Yolanda Caterbone - $25,000
$3,000.00 current accounts payable

(g) Persons dependent upon you for support


(Wife)(Husband) Name:
Children, if any:
Name:
Age:
Date of last employment:
Salary or wages per month: Other persons:
Type of work: Name:
4. I understand that I have a continuing obligation to inform the court of improvement in my
financial circumstances, which would permit me to pay the costs incurred herein.
5. I verify that the statements made in this affidavit are true and correct. I understand that false
statements herein are made subject to the penalties of 18 Pa:C.S. , relating to unsworn
falsification to authorities.
Date: September 11, 2005

_________/sjc/__________________
Petitioner
(i) The Praecipe required by subdivision (d) shall be substantially in the following form:
PRAECIPE TO PROCEED IN FORMA PAUPERIS

To the Prothonotary:
Kindly allow , Stanley J. Caterbone,

(Plaintiff), to proceed in forma pauperis.

I, Stanley J. Caterbone, Pro Se Litigant, attorney for the party proceeding in forma pauperis,
certify that I believe the party is unable to pay the costs and that I am providing free legal
service to the party.
(j) If, simultaneous with the commencement of an action or proceeding or the taking of an
appeal, a party has filed a petition for leave to proceed in forma pauperis, the court prior to
acting upon the petition may dismiss the action, proceeding or appeal if the allegations of
poverty is untrue or if it is satisfied that the action proceeding or appeal is frivolous.

________/sjc/_____________________
Stanley J. Caterbone, Pro Se
Advanced Media Group
220 Stone Hill Road
Conestoga, Pa 17516
717-431-8184
717-427-1621 Facsimile
amgroup01@msn.com
www.amgglobalentertainmentgroup.com

Stan Caterbone

83

9/25/2006 10:13 AM

September 09, 2006 Continued


Saturday
IN THE COURT OF COMMON PLEAS
OF LANCASTER COUNTY, PENNSYLVANIA

On this day of ______________________, 2006 upon consideration of the attached Petition


and Affidavit of Financial Status, it is hereby Ordered that the Petitioner, Stanley J. Caterbone,
IS permitted to proceed with the filing of his/her action or appeal In Forma Pauperis, and shall
not be required to pay the costs or fees payable in connection with such matter, but
conditioned upon his/her payment of such costs from the proceeds of an financial recovery in
this case.
BY THE COURT:

September 10, 2006


Sunday
9:00 AM - 10:00 AM

Honda Grace Period Payment Due

September 15, 2006


Friday
9:00 AM - 10:00 AM

Chapter 11 - Extension for Brief Due

September 21, 2006


Thursday
9:00 AM - 10:00 AM
9:00 AM - 10:00 AM

Honda Payment Due


MDJ Simms Disorderly Conduct -- 913 Elm Avenue

Simms could not take it that I knew the law and called him out on it
about the In Forma pauperis and he was wrong, so he pulled one of his
arrogant tricks and sent me to the Lancaster County Prison on August
11 for 4 hours.

1:00 PM - 2:00 PM

Project Hope Video Meeting with Penn Ketchum of MHMR -- MHMR Office 120 S. Queen Streets,
Lancaster

Already sent video

Stan Caterbone

84

9/25/2006 10:13 AM

September 22, 2006


Friday
12:00 AM - 12:30 AM

Payment Due MDJ Hamilton Fiorill Citations

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


I MAG. DIST. JUDGE: MkYHIIIU) A HANILTOW. h
324 BMVBR VALLBY PIX#
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO 02-3 - 03
COSTS $
OTHER $
TOTAL $
1/05/06 J.
(Date) (Defendant)
(Telephone Number) (Telsphane Number)
A hearing was held pursuant to Pa. R. Crim. P.456 on 7/05/06 , to
determine the ability of
J. , defendant, to pay the sentence of fines, costs, and
restitution imposed on 7/05/06
The defendant, CATEPBOm, ST- J. , is hereby ordered
PAYMENT SCHEDULE:
Date (Signature) Amount Date Amount
07/14/06 $25.00
07/28/06 $25.00
08/11/06 $25.00
08/25/06 $25.00
09/08/06 $25.00
09/22/06 $25.00
10/06/06 $25.00
10/20/06 $25.00
11/03/06 $25.00
11/17/06 $25.00
12/01/06 $25.00
12/15/06 $12.50
TOTAL : $287.50
MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER
I MAG. DIST. JUDGE: MA- A N I L - ,
324 BEWEB VALLEY PIKE
WILLOW STREET, PA 17584
MAGISTERIAL DISTRICT NO.: 02 -3 -03
COSTS $
OTHER $
TOTAL $
7/05/06
(Date)
(Rsidenee A

September 28, 2006


Thursday
9:00 AM - 9:30 AM

MDJ Smith Payment Due HIA Parking Ticket $67.50

MAGISTERIAL DISTRICT JUDGE PAYMENT ORDER


MAG. DIST. JUDGE: MI- J SMITH
1281 S 28TE ST
HARISBURG, PA 17111
MAGISTERIAL DISTRICT NO.: 12 -2 - 01
1717) WR-1160
COSTS $
OTHER $
TOTAL $
6/a8/06
(Date) (Defendant)
PA 17516
(~es~denc~ed dress) (Business adam)
Stan Caterbone

85

9/25/2006 10:13 AM

September 28, 2006 Continued


Thursday
(rel~nm~eu maer) (relephooe Num&r)
A hearing was held pursuant to Pa. R. Crim. P.456 on- 6/28/06 , to
determine the ability of , defendant, to pay the sentence of fines,
costs, and restitution imposed on 6/28/06 in the following: 1.
Finding of CRIMINAL CONTEMPT pursuant to 42 Pa.C.S. 4137.
privileges for Violation of Title 75 Moving Violations. 3. Referral
to a private collection I am financially able to pay the fines,
costs, or restitution imposed. .
/ 2 f;. ?,:;,>) , , , , , p ; .,s
PAYMENT SCHEDULE: < .. '
(Signature)
Date Amount Date Amount
09/28/06 $67.50
TOTAL: $67.50
AOPC 416A-05 DATE PRIMTED: 6/28/06 2:55:17 PH

September 30, 2006


Saturday
12:00 PM - 12:30 PM

Farm Aid To Bring Music, Put Spotlight On Good Food Movement Of Delaware River Valley

07/06/2006: Farm Aid 2006 Announced - Camden NJ / Philadelphia PA!


Farm Aid To Bring Music, Put Spotlight On Good Food Movement Of
Delaware River Valley - Willie Nelson, Neil Young, John Mellencamp
and Dave Matthews to Headline Sept. 30 Concert
PHILADELPHIAFarm Aid co-founder Neil Young today announced that
the nation's leading family farm advocacy organization will bring its
annual benefit concert to The Tweeter Center on the Waterfront in
Camden, New Jersey.
Farm Aid 2006 will urge Americans to choose food from family farms,
creating growing opportunities for more family farmers. Artists at
the 2006 concert will show support for activities that keep family
farmers on the land. Farm Aid's fundraising concert is scheduled to
take place on Saturday, Sept. 30 and will feature headliners Willie
Nelson, Neil Young, John Mellencamp and Dave Matthews, plus other top
artists to be announced later.
Tickets for Farm Aid 2006 are on sale July 22 at 10 a.m. EDT and are
availabl

Stan Caterbone

86

9/25/2006 10:13 AM

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April 2005
Monday

Tuesday

Wednesday

Thursday

Friday

Saturday

Sunday

28

29

30

31

10
9:00 AM Honda
Grace Period
Payment Due

11

12

13

18

19

20

14

15

16

17

21

22

23

24

29

30

9:00 AM Honda
Payment Due

25

1 of 1

26

27

28

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May 2005
Monday

Tuesday
25

Wednesday
26

Thursday

Friday

27

Saturday

28

29

Sunday

30
8:00 PM wrote
ending

2
3:00 PM Dr. Black

3
11:00 AM Q&A:
GE Heathcare
CEO Joseph
Hogan

4
8:30 AM Lancaster
County Assistance
9:30 AM Lanc
County
Commissioners

5
10:00 AM BOLC
11:00 AM Fulton Bank Mr.
Neil

2:00 PM Thrown
Out of Court House
By Sherrifs
5:00 PM Clinton Chamber
Annua... (F&M
Alumni...)

10

11

9:00 AM Honda
Grace Period
Payment Due
10:00
AM Kopenhaver
Arguement Due

7:00
AM Courthouse
unlocked
wit... (Lancaster ...)
8:30 AM Patti
Connel
10:00 AM v. Tim Convention... (Penn
Squar...)
Deckert
7:00 PM EVITA
Hearing (Jucge
Ecke...)
7:00

8
6:00 PM Sara
McLauglin

2:00 PM Cheryl
Message
Therapist

1:00 PM bolc

6
8:00 AM Intel
Article Advanced
Media Group
9:30 AM HDC

12
8:00 AM Cheryl Hartman DJ.
Fremont Street

13
7:00 PM EVITA

14
11:00
AM Harrassment
Fines (Judge
Leo ...)
7:00 PM EVITA

10:00 AM nettleton &


finefrock (nettleton ...)
7:00 PM EVITA
7:00 PM Barnstormers Game

15
9:00 AM Cole &
Carly Birthday
11:00 AM Sprint
phone bill (home)
4:00 PM Friends of
Luis
Mendoza (Mullberry
...)
7:00 PM EVITA

PM BarnStormers
Home Game

16
9:00 AM Project
Hope (Home)
1:00 PM amg legal
protottype cd... (home)
6:00 PM Demo vote
Historic Boar... (City
Chamb...)
7:00 PM Good
Charlotte (Star Pavil...)

23

17
9:00 AM prepare
case for
Nettleton &
Finefrock
6:00
PM Springsteen
at the tower

24

18

19

10:00 AM Anthon
Suit (Nettleton ...)

9:00 AM Missing Bank


Cards (Sovergient...)

2:00 PM Mortgage
Fulton Bank
Lo... (Home)

10:00 AM Restraining
Order(Pam &... (Lancaster ...) 7:00 PM Alan
Jackson (Star
11:00 AM Pam (Gwenn &
Pavil...)
Ke...)

31

9:00 AM Fulton
11:45 AM Fulton
Mortgage (Fulton Ban...) Mortgage $1800

1 of 2

21

22

9:00 AM BK
9:00 AM Honda 1:00 PM Comcast
Meeting (Russell Payment Due
Cable Shut-off (220
Kr...)
Stone ...)

2:45
PM Philadelphia (Philadelph...)

25

26

9:00 AM Bank of America 6:00


9:00 AM Hotel
Payment $10
PM U2 (Wachovia Taxes Due
i...)
12:00 PM Chapter 11
6:00 PM Wally
Filed (Federal Ba...)
Walker JA at
Etow... (E-town
2:00 PM Reconnect
Col...)
Cable (Comcast Ca...)

30

20

27
9:00
AM Security
System (Red
Rose R...)

28
12:00 AM The
Sheryl Crow
Aquatic Center
opens (Kennet,
MO)

7:00 PM Don
7:00 PM Jimmy
Henly/Stevie
Mahler 60th
Nicks (Wachovia Bday Party

29
9:00
AM Burglaries/Called
Conestoga Police
9:00 PM Quentin At
Lucky Dog
5
6:00 PM Dave
Matthews
Band (Post Gazet...)

7/31/2005 12:15 AM

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June 2005
Monday

Tuesday

Wednesday

30

31

11:45 AM Fulton
9:00 AM Fulton
Mortgage (Fulton Ban...) Mortgage $1800
D... (Any Branch)
1:00 PM Concert
Staging/Clipper... (Clipper
Ex...)

14

8:00 AM call sue ruoff mh 8:00 PM Alanis


Morisette (Kimmel
9:00 AM Call Mary
Cen...)
Steffy/mhalc (Project
Ho...)
8:00 PM Stevie Nciks/Don
Henley (Hershey Gi...)

20

21

8
8:00 AM dish
network install
10:30 AM Web
design (Site
Strux...)

15

28

12:00 PM Chamber Picnic 11:00 AM Victory


$75.00 display for banner One HUD (119th &
5t...)
12:00 PM Central
Park
Conservato... (Across
fro...)
3:00 PM C.

1 of 2

Saturday

22

29

Sunday

7:00 PM Jimmy Mahler 6:00


60th Bday Party
PM Dave
Matthews
Band (Post
Gazet...)

10

11

12

18

19

8:00 AM howells 6:00 AM Eckert


paint and glass Appeal Due (PA
Court o...)
9:00 AM Honda
Grace Period
Payment Due
9:00 AM Real Estate
Investment
... (Quality In...)
6:45 PM Aimee
Man (Roseland B...)

16

9:00 AM Bank of
America payment
$10
7:00 PM Jesse
McCartney (Giant
Cent...)

9:00 AM Hugh Grant


12:00 AM Chamber 12:00
Department of Justice
Volu...
AM Chamber
Volu...
9:00 AM Chamber Volu... 9:00 AM Honda
Payment Due
12:00 PM Chapter 11
Appeal &
Fil... (Reading Ea...)
2:00 PM U.S.
Department of
Just... (833
Chestn...)
4:00 PM One.org &
Sheryl Crow (Paris,
Fra...)

27

Friday

7:00 PM Don
Henly/Stevie
Nicks (Wachovia
P...)

9:00 AM call Joe Beseker 6:00 AM Chapter 11


to vis... (Auction In...)
Submissions
6:00 PM Andi will pickup ... (Reading)
basket... (220 )

13

Thursday

17
6:00 PM Tom
Petty (Tweeter
Ce...)

23

8:00 PM James
Taylor (Hershey St...)

24

12:00
12:00 AM Chamber
AM Chamber
Volu...
Volu...
7:00 AM
Advancing PA's
Competi... (Eden
Resor...)

30

5:00 PM Bob
Dylan &
Willie Nelson
Concert

25

26

8:00 PM Dave
Matthews/Blue
Merl... (Hershey St...)

12:00 PM Chapter
11 (Reading)
3:00 PM Canceled
Zooma
Tour-Tre... (Hershey
St...)
5:00 PM Chapter
11 (DOJ fax)

6:00 AM LIVE
8 (Global)
9:00 AM Live8
Concerts (Philadelph...)

11:00
AM Scout's
Trail (Kennet,
MO)

7/31/2005 12:16 AM

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Printed: Monday Aug. 1, 2005, 11:44 AM

July 2005
Monday

Tuesday

Wednesday

27

28

12:00
PM Chamber
Picnic $75.00
display for banner

11:00 AM Victory
One HUD (119th &
5t...)
12:00 PM Central
Park
Conservato... (Across
fro...)

Thursday

Friday

29

30

Saturday

Sunday

1
12:00 PM Chapter
11 (Reading)

2
6:00 AM LIVE 8 (Global)

9:00 AM Live8
3:00 PM Canceled Zooma Concerts (Philadelph...)
Tour-Tre... (Hershey St...)

3
11:00
AM Scout's
Trail (Kennet,
MO)

5:00 PM Chapter 11 (DOJ


fax)

3:00 PM C.
Rice (New York, ...)

7:00 PM Earth,
Wind &
Fire/Chic... (Star
Pavil...)

6:00 AM LIZZY
12:00 AM G8
BDAY (EVERYWHERE...) Summit (Edinbo...)

12:00 AM G8
Summit (Edinbo...)

9:00 AM G8
Summit (Edinbo...)

10:00 AM Nettwerk
Management (California)

8:45 AM London
Blasts (4 sites)

10

8:00
9:00
PM Quitent (Springhous...) AM Honda
Grace Period
Payment Due

2:00 PM Maddonna
EMAIL SC
"SECU... (email)
5:00 PM Cross Gates
Altercation (Cross
Gate...)

11

12

13

9:00 AM Fremont
Street
Suit (Cheryl
Har...)

11:00 AM Judgement
For Me against 1250
Fremont St...
3:00 PM Nevin Cooley

10:00 AM Charlie
Smthgall (Moyo's
Off...)

9:00
PM pp (014512429)

14

15

16

11:00 AM Tait
Towers (Lititz pa)

17
11:00 AM Dell
&
Crow (forum)

11:30 AM Gene
Pellan (Clair Brot...)

10:00 AM Art
Ward (Mayor
Smit...)
11:00 AM Nevic
Cooley (High
Offic...)
11:00 AM Tim
Swartz (Swartz
Off...)

18
7:00 PM John
Couger/John
Fogert... (Hershey
St...)

25
10:00 AM filed
brief (kennett,
M...)

1 of 2

19
12:00 PM Discover
Credit Card

20
1:00 PM MBNA AAA
Credit Card

2:00 PM Department 1:00 PM Fax to


of
Department of
Justice (Philadelph...) Ju... (Philadelph...)
6:30 PM 3 Doors
Down/Stand (Hershey
Gi...)
9:00 PM CALL TO FBI
PITTS OFFICE 2:00AM
NS ISSUE...

26
6:00 PM arrive in
Austin

27
1:00 PM Army
Intelligence
Inter... (Austin Nat...)
8:00 PM Bowling for

21
8:00 AM LONDON
BOMB BLASTS 4
LOCALS
9:00 AM Honda
Payment Due

22
2:00 AM Dept of
Justice (Philadelph...)

23

24

3:00 AM kennett (scacpool)

2:00 AM G. Dempsey (Las


Vegas)

2:00 AM FBI National


5:00 PM Haccker Security (FBI Pittsb...)
Destop
8:30 AM London - 4
Conest... (220)
Bombings (Warren-She...)
8:00
PM Cingular (Cingular
-...)
9:00 PM depart for
scac to Austin Dell

28
1:45 PM Dell,
Inc. (Dell City,...)

29

30

31

12:00 PM Clipper Stadium 9:00 AM Chapter 11 Brief 11:00


- Joe P... (Texas)
due to Judge Anita Brod... AM Files
broken into at
MG... (Las

8/1/2005 11:44 AM

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Vegas)
8:00
PM Arrive
Santa
Monica (Santa
Moni...)

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1:00 PM Concert
Staging/Clipper... (Clipper
Ex...)

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P...)

7/31/2005 12:15 AM

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Printed: Wednesday Aug. 31, 2005, 7:30 PM

August 2005
Monday

Tuesday

1
12:00 PM glasses
arrive at wallmart in
kennett mo

Wednesday

2
11:00
AM Amber (Santa
Barb...)

Thursday

Friday

Saturday

10:00 AM Steve
Auslender Real
Es... (733 Santa ...)

4:00 PM Sammy
9:00 PM Pismo Beach 12:00 PM Molly
(Public Adm...)
Henderson (Lancaster
...)
6:00 PM Antenna
Stolen for
9:00 PM los Oslos
Lapt... (State Stre...)
Sherrifs Conf... (Los
Osos, ...)

10

11

3:00 PM Wells
10:30 AM Wells
6:00 AM Weldon on
Chiropractic (Message Chiropractor (Message Fox (Avila Beac...)
Th...)
Th...)
9:00 AM Honda Grace
Period Payment Due
7:30 PM Kelly
6:00 PM Sycamore
Clarkson (Giant
Springs Hot
7:00 PM barbershop
Cent...)
Tu... (Avia Beach)
girls (Clipper St...)

15
9:00 AM Defendat
Brief due, Phil Fed
Court

22

16

17

10:00 AM Did you


write the article
about...2 feli...

24

9:00
PM ASSUALTED
IN HARRY'S
BA... (Pismo
Beac...)

7:00
PM Destiny's
Child (Star
Pavil...)

13

14

20

21

11:00 AM Arlene
Davidson
Convers... (Beverly
Hi...)
1:00 PM Marcia
Silen (Beverly Hi...)
8:00 PM Gamillion
Studios (Hollywood,...)

18
7:00 AM Sheryl - 95.5
'PLJ
6:00 PM tobey
Kieth (Hershy Sta...)

23

12

Sunday

19
9:00 PM Meeting with
Joe
Pinto (Barnstorme...)

25

26

9:00
AM Honda
Payment
Due

27

28

5:00 PM Creative Zen


8:00 AM Avril - CBS
mp3
Good Morning America
player... (WagonWheel...)

29

30
10:00 AM Craig
Amhous (Clipper St...)
1:30 PM UPS
Store (John Meede...)

31

9:45 AM UPS
Store (Meedcor)
2:00 PM Sheryl USA
Today Women
... (USA Today ...)
4:30 PM Power
Station (email)

8/31/2005 7:31 PM

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Towe... (Atlantic
C...)

12:00 PM Jodie
Flight Plan

7:00 PM Cream in
NYC (Madiso...)

Style Star (Style


Star)

1:00 PM Honorable 8:00 PM DC at Symposium


Judge Anita
B... (Federal Co...)
2:00 PM U. S.
Department of
Jus... (833
Chestn...)
6:00 PM Sheryl
Get's SIRIUS on
Satellite Radio
8:00 PM Amy Grant
Special (NBC)

26

27

28

12:00 AM Cream 8:00 AM Launch New


in
AMG Website
NYC (Madiso...) 11:00 AM Sheryl on
8:00 AM IPOD 14 The View (ABC New
DAY RETURN
Yo...)

11:15
AM County
Commissioners
Me... (Lancaster
...)
1:00 PM Fulton
Bank Mom
moved
m... (One Penn
S...)
6:30 PM Sheryl
Accoustic
Set (Times
Squa...)
8:00 PM Aimee
Mann (Hawii)

9:00
10:00 PM Sirius 18
AM Wildflower
UK
Release (London)
3:00 PM Jodie on
Ellen
8:00 PM Hip Hop
Awards vh1?

29
8:00 AM I
Hope
Email (Dixie
Chic...)
10:00
AM Hopfield
School PH
Videoi
11:30 AM PA
State Tax
Exempt
Applcation
1:00 PM ab
11:00
PM Sheryl
Conan

30
12:00 AM Sheryl
Conan
7:00 AM Sheryl
CBS Early Show
8:00
AM Yarnell (yarnell)
6:00 PM Yarnell Seucurity
sys... (220)

1
2:45 AM Yarnell Calls 2
times (220)
6:00 AM Called yarnell to
fix system.

2
4:00 PM Yarnell
Security (System
Mal...)
5:00 PM Ope
Hartlow Good (Walmart
Fr...)
5:00 PM Aaron
Tippin's (Longs
Park...)
5:15
PM Conestoga
Police Arrest... (Of
Course ...)
7:00 PM Sheryl
and Lance Free
A... (Auditorium...)

10/17/2005 11:40 PM

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Printed: Monday Oct. 17, 2005, 11:40 PM

September 2005
Monday

Tuesday

Wednesday

29
Late Summer
Holiday (United
Kingdom)

30

12
8:00 AM Yarnell

31

Friday

Saturday

8:00
4:00
PM Coldplay (Madison PM Message
Sq...)
Therapist
7:00 PM Green
DAy (Wachovia
C...)

13

14

8:00 AM Rohrestown 9:00 AM Fulton


Default
Payment
... (Fulton
Ban...)
7:00 PM Sheryl
- Germany
Concert

10:00 AM Act 23 9:00 PM World Music


Fulton Bank
Awards ABC (LA)
(Tabor)
10:00 PM Slideshow
4:15 PM Cheryl 2000 Update 2005
Message (Chiro)

Sunday

10

11

10:00 AM Craig
9:45 AM UPS
Amhous (Clipper St...) Store (Meedcor) 11:00
AM Honda 1:30 PM UPS
2:00 PM Sheryl Repo
Store (John Meede...) USA Today
Company
Women ... (USA Ca... (Home)
Today ...)
4:30 PM Power
Station (email)

5
Labor Day
(United States)
Labour Day
(Canada)

Thursday

11:30
PM Sheryl
Tapes MTV
Katrin... (MTV
Studio...)

15
9:00
AM Clinton
Glob... (New
Yo...)

6:00 AM Sheryl
AOL Sessions
Sta... (1st 4 Cuts)
8:00
AM Harleysville
Insurance Payment
Due
4:00 PM Lens
Crafters Contact... (Park
City)
7:00 PM LIVE BET
Concert (Simmons
Re...)
8:00 PM LIVE -Sheryl A
Concer... (All Major
...)

9:00 AM Honda Grace


Period Payment Due

7:00 PM Sheryl
Italy
8:00 PM Sheryl React MTV Concert (Milan,
Concer... (MTV-VH1-CM...) Ita...)
8:00 PM Sheryl React MTV
Concer... (MTV-VH1-CM...)
8:00 PM Stu Higgens The
Honky T... (Symposium)

16

17

12:00 AM Clinton
12:00 AM Clinton
Glob... (New Yo...) Glob... (New Yo...)

18
10:30 AM LIVE
Farm Aid Internet

9:00 AM Sheryl World Cafe


Ses... (World
Cafe...)
12:00 PM $200
check
9:00 PM Sheryl and
Lance on 20/20
News

19
4:00 PM Jen on
Oprah

20
6:00 AM Sheryl AOL
Sessions Streaming
(Other Cut...
7:30 AM Lancaster
Chamber Non
P... (Lancaster ...)
4:00 PM Lance on
Opra (NY)

21

22

9:00 AM Honda 11:00


Payment Due
PM Sheryl
Davi... (New
8:00 PM Big
Yo...)
Apple To The
Big
Ea... (Comcast
Pa...)
8:00 PM Los
Lonley Boys At

23
8:30 AM Sheryl
ABC Good
Morning... (NY)
9:00 AM "Eyes
Wide O... (F&M
Co...)
12:00 PM Sheryl
Get's SIRIUS on
Satellite Radio

24
12:00 AM "Eyes Wide
O... (F&M Co...)
8:00 AM DVD 14 DAY
RETURN
12:00 PM Sirius Channel
18

25
12:00 AM "Eyes
Wide O... (F&M
Co...)
12:00 AM Cream
in NYC (Madiso...)

6:00 PM Siruis
6:00 PM Sheryl at Boston's Channel 18
10:00 PM Sheryl
Mix ... (Boston )

10/17/2005 11:40 PM

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Printed: Monday Oct. 17, 2005, 11:38 PM

October 2005
Monday

Tuesday

Wednesday

26

Thursday

27

28

12:00 AM Cream 8:00 AM Launch


in
New AMG Website
NYC (Madiso...) 11:00 AM Sheryl on
8:00 AM IPOD 14 The View (ABC New
DAY RETURN
Yo...)

11:15
AM County
Commissioners
Me... (Lancaster
...)
1:00 PM Fulton
Bank Mom
moved
m... (One Penn
S...)
6:30 PM Sheryl
Accoustic
Set (Times
Squa...)
8:00 PM Aimee
Mann (Hawii)

10:00 PM Sirius 18
9:00
AM Wildflower
UK
Release (London)
3:00 PM Jodie on
Ellen
8:00 PM Hip Hop
Awards vh1?

Friday
29

8:00 AM I
Hope
Email (Dixie
Chic...)
10:00
AM Hopfield
School PH
Videoi
11:30 AM PA
State Tax
Exempt
Applcation
1:00 PM ab

8:00 AM Hempfield 7:00 AM Sheryl


Project Hope Video On The CBS
Early... (New
9:00 AM Property 1:00 PM Judge
York)
Reclamation
Mary
12:00 PM AB
Mclaughlin
(U.S.
11:00 AM Call
3:00 PM Liz
Smokey Roberts Easte...)
3:00 PM Jessical
Phair Ellen
Vid... (Marietta
Alba ELLEN (ELLEN show
A...)
show)
3:30

1:00
PM Superior
Court of
Calif... (Malibu,
Ca...)
2:00 PM East
Lampeter
Police
Ar... (Brasserie
...)
11:00 PM U2
Takes ove...

4:00 PM AMG
Website Back
On-line

PM Comcast
Cable

30
12:00 AM Sheryl
Conan
7:00 AM Sheryl CBS
Early Show
8:00
AM Yarnell (yarnell)
6:00 PM Yarnell Seucurity sys... (220)

Sunday

1
2:45
AM Yarnell
Calls 2
times (220)
6:00
AM Called
yarnell to fix
system.

2
4:00 PM Yarnell
Security (System
Mal...)
5:00 PM Ope
Hartlow Good (Walmart
Fr...)
5:00 PM Aaron
Tippin's (Longs
Park...)
5:15
PM Conestoga
Police Arrest... (Of
Course ...)
7:00 PM Sheryl
and Lance Free
A... (Auditorium...)

11:00
PM Sheryl
Conan

8:00 AM tab
scans

Saturday

1:00 PM Paid
2:00
Conestoga Police
PM Sheryl
Speeding Fine From... at Sunset
Blvd in LA
3:00 PM District
Signing
Justice Savage (15
Giest R...)

8:00 PM New Orleans


benefit per... (Binns
Room...)

6:00 PM Email
Hempfield HS
Admin Numbers
Dont Li...
6:00 PM Out of the
Shadows (Marietta
A...)
8:00 PM Cingular
Paid $350 for
Wirefly Order

10
Thanksgiving
Day (Canada)
Columbus Day
(United States)
6:00 AM Patio
Table Smashed
9:00 AM Honda
Grace Period
Payment Due

11
1:00 PM AB Order

12
9:00 AM WIP
Report to
Harleysville A.
Mazzuchi
12:00 PM ipod
crash

13
12:00
PM Cingular

14
11:00 AM Superior
Court of CA call
8:00 PM 30 Day Ipod
8:00 PM Aimee
Mann (House of B...)

15
6:00
AM Iraq
Constitution
Vote
5:00
PM Passport
Missing
8:00
PM Aimee

16
2:00 PM Local
ACLU chapter
meet... (Friends
Me...)
6:00 PM Liz
Phair (Phil
Theat...)
8:00 PM Aimee
Mann, LA (UCLA, )

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10:00
AM Southern
Regional
Polic... (220)

Mann (San
Diego,...)
10:00
PM Averatec
Crash

17

18

9:00
12:00 PM Briefcase
AM Harleysville
Sticker
Insurance Letter 3:00
8:00 PM Sheryl
PM Dicodemy (100
at Mo Oct 17 :
Highla...)
T... (Theater
7:00 PM Sheryl in...)
Hollywood

19
7:30 PM MSU
"Hotel
Rwanda" (
Reighard ...)

20
9:00
AM Lancaster
Chamber
Expo (F&M)
8:00
PM Sheryl at
Th Oct 20 :
R... (Reno
Hilto...)

Bowl (Hollywood,...)
8:00 PM Sheryl Boise Idaho
Sh... (recently a...)

21
9:00 AM Honda
Payment Due

22
8:00
PM Sheryl
at Sa Oct
22 :
T... (The
Joint,...)

8:00 PM Sheryl at Fr
Oct 21 : G... (Greek
Thea...)

8:00 PM Sheryl at
Su Oct 16 : P... (
Paramount...)

23
8:00 PM Sheryl at
Fr Oct 28 :
H... (Hollywood,...)

8:00 PM Aimee
Mann (Tuscon, AZ)

24

25

8:00 PM Sheryl
at Mo Oct 24 :
C... (Copley
Sym...)

31
Halloween
(Canada)
Halloween
(United States)

26

27

8:00 AM Media, 12:00


Commu... (The AM Media,
Un...)
Commu... (The
Un...)

1
Election Day
(United States)

28
10:00 AM Sheryl on
Ellen's Show (Los
Angelo...)
6:00 PM Sheryl Pllays
The
Tower... (Philadelph...)

4
2:00 PM Dept of
Justice (Philadelph...)
6:00 PM Sheryl UK
London Concert

29

30

11:30
12:00 AM Shery &
PM Shery & Lanc... (NY)
Lanc... (NY) 8:00 PM Sheryl at
Su Oct 30 :
A... (Avery Fish...)
5
6:00
PM Sheryl
UK London
Concert

6
8:00 AM Donegal
Insurance
Payment Due 159.00

8:00 PM Sheryl
at Mon Oct 31
:A... (Avery
Fish...)

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Printed: Monday Oct. 17, 2005, 11:41 PM

November 2005
Monday

Tuesday
31

Wednesday

Halloween
Election Day
(Canada)
(United States)
Halloween
(United States)

Thursday

Friday

Sunday

2:00 PM Dept of
6:00 PM Sheryl 8:00
Justice (Philadelph...) UK London
AM Donegal
Concert
Insurance
6:00 PM Sheryl UK
Payment Due London Concert
159.00

8:00 PM Sheryl
at Mon Oct 31
:A... (Avery
Fish...)

Saturday

10

11

12

13

9:00 AM Honda Veteran's Day


(United States)
Grace Period
Payment Due Remembrance Day
(Canada)

14

15

16

21

22

23

18

19

20

24

25

26

27

Thanksgiving
Day (United
States)

9:00 AM Honda
Payment Due

28

17

29

30

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October 2005
Monday

Tuesday

Wednesday

26

Thursday

27

28

12:00 AM Cream 8:00 AM Launch


in
New AMG Website
NYC (Madiso...) 11:00 AM Sheryl on
8:00 AM IPOD 14 The View (ABC New
DAY RETURN
Yo...)

11:15
AM County
Commissioners
Me... (Lancaster
...)
1:00 PM Fulton
Bank Mom
moved
m... (One Penn
S...)
6:30 PM Sheryl
Accoustic
Set (Times
Squa...)
8:00 PM Aimee
Mann (Hawii)

10:00 PM Sirius 18
9:00
AM Wildflower
UK
Release (London)
3:00 PM Jodie on
Ellen
8:00 PM Hip Hop
Awards vh1?

Friday
29

8:00 AM I
Hope
Email (Dixie
Chic...)
10:00
AM Hopfield
School PH
Videoi
11:30 AM PA
State Tax
Exempt
Applcation
1:00 PM ab

8:00 AM Hempfield 7:00 AM Sheryl


Project Hope Video On The CBS
Early... (New
9:00 AM Property 1:00 PM Judge
York)
Reclamation
Mary
12:00 PM AB
Mclaughlin
(U.S.
11:00 AM Call
3:00 PM Liz
Smokey Roberts Easte...)
3:00 PM Jessical
Phair Ellen
Vid... (Marietta
Alba ELLEN (ELLEN show
A...)
show)
3:30

1:00
PM Superior
Court of
Calif... (Malibu,
Ca...)
2:00 PM East
Lampeter
Police
Ar... (Brasserie
...)
11:00 PM U2
Takes ove...

4:00 PM AMG
Website Back
On-line

PM Comcast
Cable

30
12:00 AM Sheryl
Conan
7:00 AM Sheryl CBS
Early Show
8:00
AM Yarnell (yarnell)
6:00 PM Yarnell Seucurity sys... (220)

Sunday

1
2:45
AM Yarnell
Calls 2
times (220)
6:00
AM Called
yarnell to fix
system.

2
4:00 PM Yarnell
Security (System
Mal...)
5:00 PM Ope
Hartlow Good (Walmart
Fr...)
5:00 PM Aaron
Tippin's (Longs
Park...)
5:15
PM Conestoga
Police Arrest... (Of
Course ...)
7:00 PM Sheryl
and Lance Free
A... (Auditorium...)

11:00
PM Sheryl
Conan

8:00 AM tab
scans

Saturday

1:00 PM Paid
2:00
Conestoga Police
PM Sheryl
Speeding Fine From... at Sunset
Blvd in LA
3:00 PM District
Signing
Justice Savage (15
Giest R...)

8:00 PM New Orleans


benefit per... (Binns
Room...)

6:00 PM Email
Hempfield HS
Admin Numbers
Dont Li...
6:00 PM Out of the
Shadows (Marietta
A...)
8:00 PM Cingular
Paid $350 for
Wirefly Order

10
Thanksgiving
Day (Canada)
Columbus Day
(United States)
6:00 AM Patio
Table Smashed
9:00 AM Honda
Grace Period
Payment Due

11
1:00 PM AB Order

12
9:00 AM WIP
Report to
Harleysville A.
Mazzuchi
12:00 PM ipod
crash

13
12:00
PM Cingular

14
11:00 AM Superior
Court of CA call
8:00 PM 30 Day Ipod
8:00 PM Aimee
Mann (House of B...)

15
6:00
AM Iraq
Constitution
Vote
5:00
PM Passport
Missing
8:00
PM Aimee

16
2:00 PM Local
ACLU chapter
meet... (Friends
Me...)
6:00 PM Liz
Phair (Phil
Theat...)
8:00 PM Aimee
Mann, LA (UCLA, )

10/17/2005 11:38 PM

MSN Hotmail - Printable Month View

2 of 2

http://calendar.msn.com/calendar/isapi.dll?calendarView=printIndex

10:00
AM Southern
Regional
Polic... (220)

Mann (San
Diego,...)
10:00
PM Averatec
Crash

17

18

9:00
12:00 PM Briefcase
AM Harleysville
Sticker
Insurance Letter 3:00
8:00 PM Sheryl
PM Dicodemy (100
at Mo Oct 17 :
Highla...)
T... (Theater
7:00 PM Sheryl in...)
Hollywood

19
7:30 PM MSU
"Hotel
Rwanda" (
Reighard ...)

20
9:00
AM Lancaster
Chamber
Expo (F&M)
8:00
PM Sheryl at
Th Oct 20 :
R... (Reno
Hilto...)

Bowl (Hollywood,...)
8:00 PM Sheryl Boise Idaho
Sh... (recently a...)

21
9:00 AM Honda
Payment Due

22
8:00
PM Sheryl
at Sa Oct
22 :
T... (The
Joint,...)

8:00 PM Sheryl at Fr
Oct 21 : G... (Greek
Thea...)

8:00 PM Sheryl at
Su Oct 16 : P... (
Paramount...)

23
8:00 PM Sheryl at
Fr Oct 28 :
H... (Hollywood,...)

8:00 PM Aimee
Mann (Tuscon, AZ)

24

25

8:00 PM Sheryl
at Mo Oct 24 :
C... (Copley
Sym...)

31
Halloween
(Canada)
Halloween
(United States)

26

27

8:00 AM Media, 12:00


Commu... (The AM Media,
Un...)
Commu... (The
Un...)

1
Election Day
(United States)

28
10:00 AM Sheryl on
Ellen's Show (Los
Angelo...)
6:00 PM Sheryl Pllays
The
Tower... (Philadelph...)

4
2:00 PM Dept of
Justice (Philadelph...)
6:00 PM Sheryl UK
London Concert

29

30

11:30
12:00 AM Shery &
PM Shery & Lanc... (NY)
Lanc... (NY) 8:00 PM Sheryl at
Su Oct 30 :
A... (Avery Fish...)
5
6:00
PM Sheryl
UK London
Concert

6
8:00 AM Donegal
Insurance
Payment Due 159.00

8:00 PM Sheryl
at Mon Oct 31
:A... (Avery
Fish...)

10/17/2005 11:38 PM

MSN Hotmail - Printable Month View

1 of 1

http://calendar.msn.com/calendar/isapi.dll?calendarView=printIndex

amgroup01@msn.com

Printed: Monday Oct. 17, 2005, 11:41 PM

November 2005
Monday

Tuesday
31

Wednesday

Halloween
Election Day
(Canada)
(United States)
Halloween
(United States)

Thursday

Friday

Sunday

2:00 PM Dept of
6:00 PM Sheryl 8:00
Justice (Philadelph...) UK London
AM Donegal
Concert
Insurance
6:00 PM Sheryl UK
Payment Due London Concert
159.00

8:00 PM Sheryl
at Mon Oct 31
:A... (Avery
Fish...)

Saturday

10

11

12

13

9:00 AM Honda Veteran's Day


(United States)
Grace Period
Payment Due Remembrance Day
(Canada)

14

15

16

21

22

23

18

19

20

24

25

26

27

Thanksgiving
Day (United
States)

9:00 AM Honda
Payment Due

28

17

29

30

10/17/2005 11:41 PM

2005 Calender
Start Date
2/14/2005
2/21/2005
3/17/2005
5/16/2005
6/14/2005
6/28/2005
5/27/2005
7/1/2005
7/4/2005
7/6/2005
7/8/2005
7/9/2005
7/11/2005
7/11/2005
7/11/2005
7/11/2005
7/13/2005
7/13/2005
7/13/2005

Subject
Valentine's Day (United States)
President's Day (United States)
Saint Patrick's Day (United States)
Federal Civil Complaint 05-2288
Flag Day (United States)
C. Rice
Sheryl Crow Aquatic Center Opening
Chapter 11
Independence Day (United States)
Maddonna EMAIL SC "SECURITY
CONCERNS" TO LONDON
Nettwerk Management
Quitent
Charlie Smthgall
Fremont Street Suit
Tim Swartz
Tim Swartz
Street
Nevin Cooley
pp

Description

Location

Phil-Sealed
New York, NY
New York, NY
DOJ fax

could not attend travel and courts


Submit AMG minutes from 1992

"security"
Sara M. agreement

email
California
Springhouse
Moyo's Office
Cheryl Hartman
Swartz Office
Swartz Office

talked to DD, CM skipped out.


UPS Store. Wants numbers.
UPS Store. Wants numbers.
Robin called and said she will schedule meeting next week with Nevin Cooley

14512429

Start Time

End Date

End Time

12:00:00 AM
12:00:00 AM
12:00:00 AM
1:00:00 PM
12:00:00 AM
3:00:00 PM
12:00:00 PM
5:00:00 PM
12:00:00 AM

2/15/2005
2/22/2005
3/18/2005
5/16/2005
6/15/2005
6/28/2005
5/27/2005
7/1/2005
7/5/2005

12:00:00 AM
12:00:00 AM
12:00:00 AM
1:30:00 PM
12:00:00 AM
4:00:00 PM
4:00:00 PM
6:00:00 PM
12:00:00 AM

2:00:00 PM
10:00:00 AM
8:00:00 PM
10:00:00 AM
9:00:00 AM
11:00:00 AM
11:00:00 AM
11:00:00 AM
3:00:00 PM
9:00:00 PM

7/6/2005
7/8/2005
7/9/2005
7/11/2005
7/11/2005
7/11/2005
7/11/2005
7/13/2005
7/13/2005
7/13/2005

3:00:00 PM
11:00:00 AM
9:00:00 PM
11:00:00 AM
10:00:00 AM
12:00:00 PM
12:00:00 PM
12:00:00 PM
4:00:00 PM
10:00:00 PM

7/14/2005
7/14/2005
7/17/2005
7/18/2005

12:30:00 PM
12:00:00 PM
12:00:00 PM
8:00:00 PM

7/19/2005
7/19/2005
7/20/2005
7/20/2005

3:00:00 PM
1:00:00 PM
7:30:00 PM
10:00:00 PM

7/20/2005

2:00:00 PM

7/20/2005
7/21/2005
7/21/2005

2:00:00 PM
9:00:00 PM
10:00:00 PM

7/21/2005
7/21/2005
7/22/2005
7/22/2005
7/22/2005

6:00:00 PM
9:00:00 AM
3:00:00 AM
3:00:00 AM
3:00:00 AM

Met with Gene Pellan:

7/14/2005
7/14/2005
7/17/2005
7/18/2005

Gene Pellan
Tait Towers
Dell & Crow
John Couger/John Fogerty

7/19/2005
7/19/2005
7/20/2005
7/20/2005

Department of Justice
Discover Credit Card
3 Doors Down/Stand
ISSUES

7/20/2005

Fax to Department of Justice

7/20/2005
7/21/2005
7/21/2005

MBNA AAA Credit Card


Cingular
depart for scac to Austin Dell

7/21/2005
7/21/2005
7/22/2005
7/22/2005
7/22/2005

Haccker - Destop Conestoga Police


LONDON BOMB BLASTS 4 LOCALS
Dept of Justice
FBI National Security
G. Dempsey

1. Knew Tony, Bill Tell, Scott. Gene retired, Barry. "I am clean, never broke law!"
Defensive, upset. Hartlett to Tony.
Clair Brothers
11:30:00 AM
left card, Hartlett. M. Tait in middle of meeting. Ran away.
Lititz pa
11:00:00 AM
forum
11:00:00 AM
Hershey Stadium 7:00:00 PM
Called to ask about payment of fee and management reports. Talked to Dave
Adams. Again, would not answer question and was a smart-ass on the phone.
Called him an asshole.
Philadelphia
2:00:00 PM
called to renew and told them of filings. Did not believe me.
12:00:00 PM
Hershey Giant Center
6:30:00 PM
9:00:00 PM
Sent page from 1998 Affidavit calling on courts not to use technical deficiencies in
filings as being a impungement on the constitution with specific regards to RICO
statutes and obstruction of justice.
Philadelphia
1:00:00 PM
they called for payment, told them of notice and filings, with jurisdiction problems.
would not connect data line.
Officer Cramer at house to report hack to desktop - no budget to follow up. Gave
him warning to watch out and brush up on terroism. Told him about FBI call on
Thurs am.
"We got a big problem"
called FBI "national security - Iraq"
To sheryl, france. cm

Page 1 of 13

1:00:00 PM
Cingular - Park City8:00:00 PM
9:00:00 PM

220

5:00:00 PM
8:00:00 AM
Philadelphia office2:00:00 AM
FBI Pittsburg
2:00:00 AM
Las Vegas
2:00:00 AM

9/28/2006

2005 Calender
Start Date
7/22/2005
7/23/2005
7/25/2005
7/26/2005

Subject
London - 4 Bombings
kennett
filed brief
arrive in Austin

7/27/2005
7/27/2005

Army Intelligence Interview


Bowling for dollars

7/28/2005

Dell, Inc.

Description
4 Coordinated bombs
via usps kennett, mo, filed brief for chapeter 11 to phil and reading

Location
Start Time
Warren-Shepards Bush....
8:30:00 AM
scac- pool
3:00:00 AM
kennett, MO
10:00:00 AM
6:00:00 PM

End Date
7/22/2005
7/23/2005
7/25/2005
7/26/2005

Interviewed by Army Intell. Wanted to see docs, and interest about sc. Looked at
DP docs. Wanted to know who I was. Wanted to know who I took orders from and
how I communicated with Intel. Said everything is fine.
Austin National Reserve
1:00:00
Base
PM 7/27/2005
Chamelion
8:00:00 PM 7/27/2005
After 1 hour in lobby, V. Fequirio, or whoever, called lobby and verified and
confirmed activitey as planned. Talked to Wackenhut about proposal back in
1990.
Dell City, Autsint, TX
1:45:00
Buildings
PM 5 and
7/28/2005
1
Returned call to Joe Pinto about concert venues for Clipper. Will send sample
contract and said would like more concerts. Said no other promotors are
interested with any more concerts at this time. Randy Patterson said that the
County Redevelpment Auth gives all management to Joe Pinto for concerts.

End Time
9:30:00 AM
4:00:00 AM
11:00:00 AM
7:00:00 PM

2:00:00 PM
9:00:00 PM

2:45:00 PM

7/30/2005
7/31/2005

Clipper Stadium - Joe Pinto


Chapter 11 Brief due to Judge Anita Brody Phil Fed Court
Arrive Santa Monica

7/31/2005

Files broken into at MGM Grand Las Vegas

8/1/2005
8/1/2005

Antenna Stolen for Laptop wireless pcma card


glasses arrive at wallmart in kennett mo

Report filed by MGM Risk Management Security Division. Marine Corp officer very
hostile and upset. See Report number 1N20050005628
Las Vegas
11:00:00 AM
Not able to connect to internet, guy walked by while eating and kept pointing to
antenna. Was taken or hidden while eating.
State Street, Santa6:00:00
BarbaraPM
12:00:00 PM

Sammy
Saskatchewan Day (Canada)
Amber
Pismo Beach
Sheryl's "Good Is Good" Video Released

Meeting with Dwight Faulding, Deputy, Public Adm-Conservator.: Acknowledged


that there was a problem. 2 people murdered right after Sammy's death. "House"
was torn down, no longer exists because of problems. Said " I understand how
you feel, no one in this office was here then, I do not know where to get information
or files", it does sound like it was not a suicide".
Public Administrator-Conservator-Santa
4:00:00 PM
8/1/2005
Barbara
5:00:00 PM
12:00:00 AM
8/2/2005 12:00:00 AM
Took Amber to Dentist, to Emergency Room, then to Shelter.
Santa Barbara 11:00:00 AM
8/2/2005 12:00:00 PM
9:00:00 PM
8/2/2005 10:00:00 PM
8:00:00 AM
8/2/2005
9:00:00 AM

los Oslos Sherrifs Confrontation

2 Los Osos Sheriffs pulle me over for no reason and did the usual harrasment and
breathilyzer routine, of course the results were 0.0 blood alchohol. Frisked me for
weapons, got mad that I talked about the Intell Community and what I did. More
less told me to move along and leave the town. FAT CHANCE!
Los Osos, Ca

8/3/2005

10:00:00 PM

Molly Henderson
Steve Auslender Real Estate Meeting

Talked to Molly.
1. Said I already picked up Huner Proposal. Said she would mail it.
2. Has alternatives for Watt & Shand and Convention Center, said she did not like
the private finanacing of project and that Convention Center would fail.
Lancaster County12:00:00
Commissioners
PM
8/3/2005
2683 Rodman Drive
733 Santa Isabelle
10:00:00
Drive, Los
AMOslos,
8/3/2005
CA

1:00:00 PM
11:00:00 AM

7/29/2005

8/1/2005
8/1/2005
8/2/2005
8/2/2005
8/2/2005

8/3/2005

8/3/2005
8/3/2005

Texas

Santa Monica

Page 2 of 13

12:00:00 PM

7/29/2005

1:00:00 PM

9:00:00 AM
8:00:00 PM

7/30/2005
7/31/2005

10:00:00 AM
9:00:00 PM

7/31/2005

12:00:00 PM

8/1/2005
8/1/2005

7:00:00 PM
1:00:00 PM

9:00:00 PM

9/28/2006

2005 Calender
Start Date

Subject

Description

Location

Start Time

End Date

End Time

Officer Jeremy Douglas and Mike Hunter. White Male, 5'8", white shirt & blue
jeans. Playing pool, and just started shoving me trying to provoke me to fight. Did
nothing, grabed me by the throat and shoved my head against the mirror. Asked
the bounder behind the bar to do something, and he did nothing. Asked the
bouncer at the door if he was going to do something, he said "just go home".
Went to car, and pulled up outside bar and talked to another bouncer, asked him
why if he was going to do something, he said no. Drove directly to police station
and called 911 enroute.
8/6/2005
8/7/2005
8/8/2005
8/8/2005
8/9/2005
8/9/2005
8/10/2005
8/10/2005

ASSUALTED IN HARRY'S BAR - PISMO


BEACH
Destiny's Child
Kelly Clarkson
Wells Chiropractic
Sycamore Springs Hot Tub
Wells Chiropractor
barbershop girls
Weldon on Fox

8/12/2005

Arlene Davidson Conversation

8/12/2005
8/12/2005
8/13/2005
8/13/2005
8/15/2005
8/16/2005
8/18/2005
8/18/2005

Gamillion Studios
Marcia Silen
Border Patrol
Border Patrol Arrest
Defendat Brief due, Phil Fed Court
8
Sheryl - 95.5 'PLJ
tobey Kieth

8/19/2005

Meeting with Joe Pinto

8/25/2005
8/26/2005
8/29/2005
8/30/2005
8/30/2005
8/31/2005
8/31/2005
8/31/2005

Creative Zen mp3 player report


Avril - CBS Good Morning America
Late Summer Holiday (United Kingdom)
Craig Amhous
UPS Store
Power Station
Sheryl USA Today Women Rule PR
UPS Store

9/1/2005
9/5/2005
9/5/2005

Honda - Repo Company Called Wanted Case


Numbers
Labor Day (United States)
Labour Day (Canada)

See JT Krumholz from Bully's in SLB at Bully's bar. Connection?????

Finally learned of Weldon's intell report. Inbelievablel.


Talked to Arlene Davidson of Flatbush Films for about 15 minutes. Confusing
Conversation.

Pismo Beach Case9:00:00


Police Case
PM No.
8/6/2005
051653 10:00:00 PM
Star Pavillion
7:00:00 PM
8/7/2005
8:00:00 PM
Giant Center
7:30:00 PM
8/8/2005
8:30:00 PM
Message Therapy 3:00:00 PM
8/8/2005
4:00:00 PM
Avia Beach
6:00:00 PM
8/9/2005
7:00:00 PM
Message Therapy10:30:00 AM
8/9/2005 11:30:00 AM
Clipper Stadium 7:00:00 PM 8/10/2005
8:00:00 PM
Avila Beach
6:00:00 AM 8/10/2005
7:00:00 AM
Beverly Hills, CA 11:00:00 AM

8/12/2005

12:00:00 PM

Hollywood, CA
8:00:00 PM
Beverly Hills
1:00:00 PM
Santa Monica Pier 1:00:00
Lunch PM
Santa Monica Pier3:00:00 PM
9:00:00 AM
10:00:00 AM
7:00:00 AM
Hershy Stadium 6:00:00 PM

8/12/2005
8/12/2005
8/13/2005
8/13/2005
8/15/2005
8/16/2005
8/18/2005
8/18/2005

9:00:00 PM
2:00:00 PM
2:00:00 PM
4:00:00 PM
10:00:00 AM
11:00:00 AM
8:00:00 AM
7:00:00 PM

Wants to develop a summer concert series with the rest of the league. Would be a
nice 10-12 week schedule if the rest of the league participated. Needs to address
staging and financing costs. Suggested researching a bonding or similar financing
vehicle for attracting shows and securing schedules.
Barnstormers game
9:00:00 PM

8/19/2005

10:00:00 PM

8/25/2005
8/26/2005
8/30/2005
8/30/2005
8/30/2005
8/31/2005
8/31/2005
8/31/2005

6:00:00 PM
9:00:00 AM
12:00:00 AM
11:00:00 AM
2:30:00 PM
5:30:00 PM
3:00:00 PM
10:45:00 AM

9/1/2005
9/6/2005
9/6/2005

12:00:00 PM
12:00:00 AM
12:00:00 AM

Revisit Ted's old film studio. The property is totallly revitalized and is a showcase!
Finally talked to Marcia, my Hollywood partner, after all these years.
discussion
Fruit Vendor arrested, no license. Police let him go. no papers.

Reported to Conestoga Police Officer that the Creative Zen Micro mp3 player was
tampered with and the player frozen with no way of restoring it. Said he would
make a report, although he did not take any real information or write anything
down.
WagonWheel Restuarant
5:00:00 PM
8:00:00 AM
12:00:00 AM
719-492-2745
Clipper Stadium 10:00:00 AM
John Meeder Office
1:30:00 PM
email
4:30:00 PM
USA Today Newspaper
2:00:00 PM
UPS Store and Excelsior Place meeting. Notes to follow.
Meedcor
9:45:00 AM
Reposession Co called and wanted van back. Said Honda is going to get a court
order. Said he would call back. Asked for Judge and Case Numbers filed in
Federal Court
Home
11:00:00 AM
12:00:00 AM
12:00:00 AM

Page 3 of 13

9/28/2006

2005 Calender
Start Date
9/6/2005
9/7/2005
9/7/2005
9/8/2005
9/9/2005
9/9/2005
9/9/2005
9/9/2005
9/9/2005
9/10/2005
9/10/2005
9/10/2005
9/11/2005
9/12/2005
9/12/2005
9/12/2005
9/13/2005
9/13/2005
9/13/2005
9/14/2005
9/14/2005
9/15/2005
9/16/2005
9/16/2005
9/16/2005
9/18/2005
9/19/2005
9/20/2005
9/20/2005
9/20/2005
9/21/2005
9/21/2005
9/22/2005
9/23/2005
9/23/2005

Subject
Coldplay
Green DAy
Message Therapist
Sheryl Tapes MTV Katrina Benefit in NY
Harleysville Insurance Payment Due
Lens Crafters - Contacts
LIVE - BET Concert
10
Sheryl AOL Sessions Starts Streaming
Sheryl React MTV Concert Airs
Sheryl React MTV Concert Airs - 20
Stu Higgens The Honky Tonk Heroe
Sheryl Italy Concert
Act 23 Fulton Bank
Cheryl Message
Yarnell
Rohrestown
Slideshow 2000 Update 2005
World Music Awards ABC
Fulton Default Payment Due
Sheryl - Germany Concert
Clinton Global Initiative
$200 check
Sheryl - World Cafe Sessions
Sheryl and Lance on 20/20 News
LIVE Farm Aid Internet
Jen on Oprah
Lancaster Chamber Non Profit Lobying Forum
Lance on Opra
Sheryl AOL Sessions Streaming (Other Cuts)
Big Apple To The Big Easy
Los Lonley Boys At Tower
Sheryl David Letterman
"Eyes Wide Open" Irag Casualty Multimedia
Amy Grant Special

9/23/2005
9/23/2005
9/23/2005
9/23/2005
9/23/2005

Honorable Judge Anita Brody Chambers


Jodie Flight Plan
Sheryl ABC Good Morning America
Sheryl Get's SIRIUS on Satellite Radio
Sheryl Get's SIRIUS on Satellite Radio

9/23/2005
9/24/2005
9/24/2005
9/24/2005

U. S. Department of Justice Meeting


Cream in NYC
DC at Symposium
DVD 14 DAY RETURN

Description

Here we go again?

told mike will buy tv

Location
Start Time
End Date
Madison Sq Garden
8:00:00 PM
9/6/2005
Wachovia Center -7:00:00
Philadelphia
PM
9/7/2005
4:00:00 PM
9/7/2005
MTV Studios Times
11:30:00
SquarePM
New York
9/8/2005
8:00:00 AM
9/9/2005
Park City
4:00:00 PM
9/9/2005
Simmons Recording
7:00:00
Record
PM
9/9/2005
All Major Networks8:00:00 PM
9/9/2005
1st 4 Cuts
6:00:00 AM
9/9/2005
MTV-VH1-CMT 8:00:00 PM 9/10/2005
MTV-VH1-CMT 8:00:00 PM 9/10/2005
Symposium
8:00:00 PM 9/10/2005
Milan, Italy FestivalBar
7:00:00 PM 9/11/2005
Tabor
10:00:00 AM 9/12/2005
Chiro
4:15:00 PM 9/12/2005
8:00:00 AM 9/12/2005
8:00:00 AM 9/13/2005
10:00:00 PM 9/13/2005
LA
9:00:00 PM 9/13/2005
Fulton Bank
9:00:00 AM 9/14/2005
7:00:00 PM 9/14/2005
New York, NY
9:00:00 AM 9/17/2005
12:00:00 PM 9/16/2005
World Cafe ?
9:00:00 AM 9/16/2005
9:00:00 PM 9/16/2005
10:30:00 AM 9/18/2005
4:00:00 PM 9/19/2005
Lancaster Chamber
7:30:00 AM 9/20/2005
NY
4:00:00 PM 9/20/2005
6:00:00 AM 9/20/2005
Comcast Pay Per View
8:00:00 PM 9/21/2005
Atlantic City,NJ 8:00:00 PM 9/21/2005
New York
11:00:00 PM 9/23/2005
F&M College
9:00:00 AM 9/25/2005
NBC
8:00:00 PM 9/23/2005

Clerk of Judge Brody and Assistant. "Judge not available. Reading did not
respond and did not file brief. Judge will issue order shortly. Why hasn't the judge
issued opiinion, by law it was due 15 days after defendant brief due? Reply "The
government does not know what they are going to do".
Federal Courthouse,
1:00:00
Philadelphia
PM 9/23/2005
12:00:00 PM 9/23/2005
NY
8:30:00 AM 9/23/2005
12:00:00 PM 9/23/2005
6:00:00 PM 9/23/2005
Bankruptcy Trustee For Chapter 11: Never recieved $250 check sent in on July
18th. Paid another $250.00 for Chapter 11 Administration
833 Chestnut Street,
2:00:00
Philadlephia,
PM 9/23/2005
PA
Madison Sq Garden
7:00:00 PM 9/26/2005
8:00:00 PM 9/24/2005
8:00:00 AM 9/24/2005

Page 4 of 13

End Time
9:00:00 PM
8:00:00 PM
5:00:00 PM
11:45:00 PM
9:00:00 AM
5:00:00 PM
8:00:00 PM
9:00:00 PM
7:00:00 AM
11:00:00 PM
11:00:00 PM
9:00:00 PM
8:00:00 PM
11:00:00 AM
5:00:00 PM
9:00:00 AM
9:00:00 AM
11:00:00 PM
10:00:00 PM
10:00:00 AM
8:00:00 PM
9:00:00 PM
1:00:00 PM
10:00:00 AM
10:00:00 PM
11:30:00 AM
5:00:00 PM
8:30:00 AM
5:00:00 PM
7:00:00 AM
9:00:00 PM
9:00:00 PM
12:00:00 AM
10:00:00 AM
9:00:00 PM

2:00:00 PM
1:00:00 PM
9:00:00 AM
1:00:00 PM
7:00:00 PM
3:00:00 PM
8:00:00 PM
9:00:00 PM
9:00:00 AM

9/28/2006

2005 Calender
Start Date
9/24/2005
9/24/2005
9/25/2005
9/25/2005
9/26/2005
9/26/2005
9/26/2005
9/26/2005
9/27/2005
9/27/2005
9/27/2005
9/28/2005
9/28/2005

Subject
Sheryl at Boston's Mix 98.5's Mixfest
Sirius Channel 18
Sheryl Style Star
Siruis Channel 18
Hip Hop Awards vh1?
IPOD 14 DAY RETURN
Jodie on Ellen
Wildflower UK Release
Launch New AMG Website
Sheryl on The View
Sirius 18
Aimee Mann
County Commissioners Meeting

9/28/2005
9/28/2005
9/29/2005
9/29/2005
9/29/2005
9/29/2005
9/29/2005
9/30/2005
9/30/2005
9/30/2005

Fulton Bank Mom moved money


Sheryl Accoustic Set
ab
Hopfield School PH Videoi
I Hope Email
PA State Tax Exempt Applcation
Sheryl Conan
Sheryl CBS Early Show
Yarnell
Yarnell - Seucurity system malfunction

10/1/2005
10/1/2005
10/2/2005
10/2/2005
10/2/2005
10/2/2005

Called yarnell to fix system.


Yarnell Calls 2 times
Aaron Tippin's
Conestoga Police Arrest Me For Speeding
Ope Hartlow - Good
Sheryl and Lance Free Austin Concert

Description

Met with Molly Henderson and had discussion. Told her what I thought.
Mom's accounts. Withdrew $8000 on Monday, Sept 26, and closed the other
account on Sept 23. Met with customer service rep at the bank headquarters.
Why doesn't that suprise me????
(1540 Broadway Level 2)
Send dvd, cd
Sent I Hope mp3 from Dixie Chicks and Sony, from Shelter Concert.

garage door not on line


System will not arm. Called hq to have it fixed today. Dispatcher said someone
called at 2:45 am because trouble was reported at the station.
Woke and found 2 calls from yarnell seccurity
Gee, something new and different -- Corruption.
Lance Diagnosis Concert

Page 5 of 13

Location
Boston

Start Time
6:00:00 PM
12:00:00 PM
Style Star
10:00:00 PM
6:00:00 PM
8:00:00 PM
8:00:00 AM
3:00:00 PM
London
9:00:00 AM
8:00:00 AM
ABC New York 11:00:00 AM
10:00:00 PM
Hawii
8:00:00 PM
Lancaster County11:15:00
Courthouse
AM

End Date
9/24/2005
9/24/2005
9/25/2005
9/25/2005
9/26/2005
9/26/2005
9/26/2005
9/26/2005
9/27/2005
9/27/2005
9/27/2005
9/28/2005
9/28/2005

End Time
7:00:00 PM
1:00:00 PM
11:00:00 PM
7:00:00 PM
9:00:00 PM
9:00:00 AM
4:00:00 PM
10:00:00 AM
9:00:00 AM
12:00:00 PM
11:00:00 PM
9:00:00 PM
12:15:00 PM

One Penn Square 1:00:00 PM 9/28/2005


Times Square Virgin
6:30:00
Megastore
PM location
9/28/2005
1:00:00 PM 9/29/2005
10:00:00 AM 9/29/2005
Dixie Chicks
8:00:00 AM 9/29/2005
11:30:00 AM 9/29/2005
11:00:00 PM 9/30/2005
7:00:00 AM 9/30/2005
yarnell
8:00:00 AM 9/30/2005
220
6:00:00 PM 9/30/2005

2:00:00 PM
9:30:00 PM
2:00:00 PM
10:30:00 AM
9:00:00 AM
12:00:00 PM
12:30:00 AM
8:00:00 AM
9:00:00 AM
7:00:00 PM

6:00:00 AM
220
2:45:00 AM
Longs Parkl
5:00:00 PM
Of Course 33 in a 30
5:15:00
Zone PM
Walmart Fruitville Pike
5:00:00 PM
Auditorium Shores,7:00:00
Austin PM

10/1/2005
10/1/2005
10/2/2005
10/2/2005
10/2/2005
10/2/2005

7:00:00 AM
3:45:00 AM
8:00:00 PM
6:15:00 PM
6:00:00 PM
8:00:00 PM

9/28/2006

2005 Calender
Start Date

Subject

Description

Location

Start Time

End Date

End Time

Dispathcer said someone entered house, aborted alarm at 9:21am and changed
the Master Code. Said she would reset. Code changed from 4115 to 2115.
I told her she had a security breach. Mr. Yarnell called me back and told me to
stop calling his despatchers. Then said it was a malfunction on the board.

10/2/2005
10/3/2005

10/3/2005
10/3/2005
10/4/2005
10/4/2005
10/4/2005
10/4/2005
10/4/2005
10/4/2005

Yarnell Security
Call Smokey Roberts Video

Property Reclamation
tab scans
AMG Website Back On-line
Cingular Paid $350 for Wirefly Order
Link
Hempfield Project Hope Video
Jessical Alba ELLEN
Judge Mary Mclaughlin

Liar.
Get Master for Project hope "Numbers Don't Lie"
1. 2323 New Danville Pk, Conestoga, PA owned,
2. Useppa Island Townhouse, Captiva, FL downpayment
3. 554 Berkley Road, Stone Harbor, NJ owned, lease to purchae
4. Taquan Glenn Property, Peque, Pa downpayment
5. Navajo Chieften, Turbo Prop, owned
6. Finanacial Management Group, LTD., owned
7. Global Entertainment Group, Ltd., , owned
8. Power Productions I, digital movie, owned
9. FMG Advisory, Ltd., owned
10. Intellectual Property All inclusive.
modified power station pages with avatar article.
cancelled order, Need to get back Cingular Payment

Resubmit original complaint of 1998 affidavit via fax

Page 6 of 13

System Malfunction
4:00:00
- Changed
PM Master
10/2/2005
Passcode
5:00:00 PM
Marietta Aven
11:00:00 AM 10/3/2005 12:00:00 PM

9:00:00 AM
8:00:00 AM
4:00:00 PM
8:00:00 PM
6:00:00 PM
8:00:00 AM
ELLEN show
3:00:00 PM
U.S. Eastern District
1:00:00 PM

10/3/2005
10/3/2005
10/4/2005
10/4/2005
10/4/2005
10/4/2005
10/4/2005
10/4/2005

10:00:00 AM
9:00:00 AM
5:00:00 PM
9:00:00 PM
7:00:00 PM
9:00:00 AM
4:00:00 PM
2:00:00 PM

9/28/2006

2005 Calender
Start Date
10/4/2005

Subject

Description

Location
Start Time
Marietta Avenue Church
6:00:00 PM

End Date
10/4/2005

End Time
7:00:00 PM

12:00:00 PM
3:30:00 PM
3:00:00 PM
7:00:00 AM

10/5/2005
10/5/2005
10/5/2005
10/5/2005

1:00:00 PM
6:00:00 PM
4:00:00 PM
8:00:00 AM

Trouble started when a man, balding, light blue shirt, hands folded, standing
behind me yelled at me about the Marines, trying to intimidate me. I told him, he
was just pissed off about the Marine indicted at the White House for espionage the
day before. All hell broke out, and the bartender lied about the number of drinks I
had, and told me I'm flagged. Demanded I pay for the bill, I said, no, I'll pay when
I'm read
Brasserie Restuarant,
2:00:00
Lancaster,
PM 10/6/2005
PA
Filed petitions for estate, and cause of death.
Malibu, California 1:00:00 PM 10/6/2005
11:00:00 PM 10/7/2005
see 1987
15 Giest Road
3:00:00 PM 10/7/2005

11:00:00 PM
2:00:00 PM
12:00:00 AM
4:00:00 PM

Out of the Shadows

UNITED STATES TRUSTEE'S RESPONSE TO ORDER TO SHOW CAUSE


WHY THE DEBTOR'S BANKRUPTCY CASE SHOULD NOT BE REINSTATED
On September 21, 2005, this Court entered an Order to Show Cause why, in light
of the Debtor-Appellant's Notice of Appeal and Brief, his bankruptcy case should
not be reinstated in the United States Bankruptcy Court for the Eastern District of
Pennsylvania. The United States Trustee did not move for dismissal below, and is
not a party to this appeal, but in conformity with the Court's order hereby submits
this response stating she does not oppose reinstatement of Appellant's case.
I. PROCEDURAL HISTORY
Appellant commenced his bankruptcy case on May 23. 2005. by filing a voluntary
petition under chapter 11of Title 11 of the United States Code (the "Bankruptcy
Code") Bankr. Docket #1. Appellant was not represented by counsel at the time
he filed his Petition, but was pro se.

10/5/2005
10/5/2005
10/5/2005
10/5/2005

AB
Comcast Cable
Liz Phair Ellen show
Sheryl On The CBS Early Show

Concurrent with his Petition Appellant filed a Statement of Social Security


%umber,r

New York

Filed with California Superior Court for Sammy's Petitions via Willow Street Post
Office. Then headed to Cingular on Lincoln Hwy East, stopped for lunch at
Brasserie. Girl jumped in front of me going in, SC look alike. 2 girls, noticed SU,
with conversation. Stayed to educate. One girl, in firs half our, told me to "Get the
Fuck OUT" when I told her about the CIA. Girl next to me was always delightful,
however, she kept running out to her car. Good Cop Bad Cop strategy? Anyway,
the entire bar was baiting me the whole time, especially about Sheryl and Lance.

10/6/2005
10/6/2005
10/6/2005
10/7/2005
10/7/2005
10/7/2005
10/8/2005
10/10/2005

East Lampeter Police Arrest


Superior Court of California Filing
U2 Takes over Conan Show
District Justice Savage
New Orleans benefit performance to open
Twilight Concert Series
Paid Conestoga Police Speeding Fine From
Sunday
Sheryl at Sunset Blvd in LA Signing
Columbus Day (United States)

Binns Room 42 S. 8:00:00


Prince St.
PMAcedamy
10/7/2005
of Music9:00:00 PM
1:00:00 PM 10/7/2005
2:00:00 PM 10/8/2005
12:00:00 AM 10/11/2005

Page 7 of 13

2:00:00 PM
3:00:00 PM
12:00:00 AM

9/28/2006

2005 Calender
Start Date
10/10/2005

Subject
Patio Table Smashed

10/10/2005
10/10/2005

Southern Regional Police Visit


Thanksgiving Day (Canada)

Description
Chief Firell responds and takes report - said he would send assignment number for
insurance.

Location

220

Start Time
End Date
6:00:00 AM 10/10/2005

End Time
7:00:00 AM

10:00:00 AM 10/10/2005
12:00:00 AM 10/11/2005

11:00:00 AM
12:00:00 AM

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYL.VANIA
IN THE MATTER OF:
STANLEYJ. CATERBONE,
Debtor-Appellant CIVIL ACTION NO. 05-3689
BKY. NO.05-23059TMT
V.
United States Trustee

10/11/2005
10/12/2005
10/12/2005
10/13/2005
10/14/2005
10/14/2005

AB Order
ipod crash
WIP Report to Harleysville A. Mazzuchi
Cingular
30 Day Ipod
Aimee Mann

10/14/2005
10/15/2005
10/15/2005

Superior Court of CA call


Aimee Mann
Averatec Crash

AND NOW, thls 5th day of October 2005, it is ORDERED that the abovecaptioned
case is reinstated in the United States Bankruptcy Court for the Eastern District of
Pennsylvania,
provided that Debtor-Appellant comply with the rules and requirement
ipod crash at Fremont Street.
4 Customer Service Reps, will provide an audit within 7 days.
Circuit City gave Upgrade Comment for New Video to swap, given at store.

Ann, wanted to know what to do with docs. Never called back. Left 2 messages.

1:00:00 PM
12:00:00 PM
9:00:00 AM
12:00:00 PM
8:00:00 PM
House of Blues Anaheim,
8:00:00 CA
PM

10/11/2005
10/12/2005
10/12/2005
10/13/2005
10/14/2005
10/14/2005

2:00:00 PM
1:00:00 PM
10:00:00 AM
1:00:00 PM
8:30:00 PM
9:00:00 PM

11:00:00 AM 10/14/2005
San Diego, CA Belly
8:00:00
Up PM 10/15/2005
10:00:00 PM 10/15/2005

12:00:00 PM
9:00:00 PM
10:30:00 PM

6:00:00 AM 10/15/2005
5:00:00 PM 10/15/2005
UCLA,
8:00:00 PM 10/16/2005
Phil Theater of Arts6:00:00 PM 10/16/2005
Friends Meeting House,
2:00:00
110
PMTulane
10/16/2005
Terrace

7:00:00 AM
5:30:00 PM
9:00:00 PM
7:00:00 PM
5:00:00 PM

Paramount Theater,
8:00:00
Seattle,
PMWA
10/16/2005

9:00:00 PM

Est 65%
10/15/2005
10/15/2005
10/16/2005
10/16/2005
10/16/2005
10/16/2005
10/17/2005
10/17/2005
10/17/2005
10/17/2005
10/18/2005

Iraq Constitution Vote


Passport Missing
Aimee Mann, LA
Liz Phair
Local ACLU chapter meeting
Sheryl at Su Oct 16 : Paramount Theater,
Seattle, WA
Sheryl at Mo Oct 17 : Theater in Clouds,
Portland, OR
Dicodemy
Harleysville Insurance Letter
Sheryl at Mo Oct 17 : Theater in Clouds,
Portland, OR
Aimee Mann

High Sunni Vote


Report stolen to Fedor, Southern Regional from kmart.

Still under investigation, reason for case not closed when due.

Theater in Clouds, 8:00:00


Portland,
PM
OR10/17/2005
9:00:00 PM
100 Highlands Dr.,Suite
3:00:00
307,Lititz,
PM 10/17/2005
PA 17543 3:30:00 PM
9:00:00 AM 10/17/2005 10:00:00 AM
Theater in Clouds, 8:00:00
Portland,
PM
OR10/17/2005
Tuscon, AZ
8:00:00 PM 10/18/2005

Page 8 of 13

9:00:00 PM
9:00:00 PM

9/28/2006

2005 Calender
Start Date
10/18/2005
10/18/2005

Subject

10/18/2005
10/18/2005

Live B II
Sheryl - Boise Idaho Show

10/19/2005

Hugh Ward, Dept of Justice

10/19/2005
10/19/2005
10/19/2005

Motorola
MSU "Hotel Rwanda"
MSU Hotel Rwanda
Canceled Sheryl at Th Oct 20 : Reno Hilton
Pavilion, Reno, N
F&M Lancaster Chamber Expo
forum post
Lancaster Chamber Expo
Sammys File to Dwight Faulding, Santa
Barbara County Guardian,
Canceled? Sheryl at Sa Oct 24 : The Joint, Las
Vegas, N
Reagan Library Air Force One dedication
CA
Billy Grahm

10/20/2005
10/20/2005
10/20/2005
10/20/2005
10/20/2005
10/21/2005
10/21/2005
10/21/2005
10/22/2005

10/22/2005

Description

Briefcase Sticker
Dicodemy

East Lampeter Citations

Location

Start Time
End Date
12:00:00 AM 10/19/2005
3:00:00 PM 10/18/2005

End Time
12:00:00 AM
3:30:00 PM

220
9:30:00 AM 10/18/2005
recently added to schedule
8:00:00 PM
on sept
10/18/2005
9

10:30:00 AM
9:00:00 PM

Mobile Phone

11:00:00 AM

9
exec prod sc
prod sclajf
star mk.......
creat con glb
Do not need DIP account, and do not have to submit anymore docs for first
meeting. Instructions will follow.
will recieve by the 27th. She said they should have given a tracking no. before
returning, only gave ra no. They recived ra on the 13th.
very good crowd and attendance, standing room out in the lobby.

would not give me a private meeting. told 3 people in lobby.

10:00:00 AM 10/19/2005

Von Phone
1:00:00 PM 10/19/2005
2:00:00 PM
Reighard Multipurpose
7:30:00
Room
PM in10/19/2005
the Student Memorial
9:30:00 PM
Center
7:30:00 PM 10/19/2005
9:30:00 PM
Reno Hilton Pavilion,
8:00:00
Reno,PM
NV
9:00:00 AM
LCPD
1:30:00 PM
F&M
9:00:00 AM

USPS 2103 8555 7490 1708 3066

10/20/2005
10/20/2005
10/20/2005
10/20/2005

9:00:00 PM
10:00:00 AM
2:30:00 PM
10:00:00 AM

10:00:00 PM 10/20/2005

10:30:00 PM

One of my Dad's friends

The Joint, Las Vegas,


8:00:00
NV PM
1:00:00 PM
Greek Theater, Berkeley,
8:00:00CA
PM
8:00:00 PM

Docket No. CR-408-05


OTN- L260045-2
Hearing Nov 17, 3:00pm

us mail

said mad, your right, something not right

10/21/2005
10/21/2005
10/21/2005
10/22/2005

9:00:00 PM
2:00:00 PM
9:00:00 PM
9:00:00 PM

1:00:00 PM 10/22/2005

2:00:00 PM

1:00:00 PM 10/22/2005
8:00:00 PM 10/23/2005
11:00:00 PM 10/25/2005

2:00:00 PM
10:15:00 PM
12:00:00 AM

Copley Symphony 8:00:00


Hall, San
PM
Diego,
10/24/2005
CA
6:00:00 AM 10/24/2005
John Wayne - Long9:00:00
BeachAM
Airports
10/25/2005

9:00:00 PM
7:00:00 AM
10:00:00 AM

7:00:00 AM 10/25/2005
3:00:00 PM 10/25/2005

8:00:00 AM
4:00:00 PM

Citation No. P-4181856-0


NT-132-05

10/22/2005
10/23/2005
10/24/2005
10/24/2005
10/24/2005
10/25/2005

Summary Appeal Court Notice


Sheryl - Hollywood Bowl
Excelsior Update to website no link yet
Sheryl at Mo Oct 24 : Copley Symphony Hall,
San Diego, CA
WILMA hits Miami, Ft. Lauderdale
2 Airports Bomb Threats - California

Apeal dismissed, charges dismissed,


I owe them 68.16 more in court costs?

Leak case heats up....


Evacuaated morning after Sheryl's San Diego Concert

us mail
Hollywood, CA

70% for 21% against


10/25/2005
10/25/2005
10/26/2005
10/27/2005
10/28/2005
10/28/2005

Iraq Draft Constitution Adopted


usps pf
Media, Communications & Technology in the
Age of the Blogger
gas at 2.29 hess
Meeting with Judge Mary McGlaughlin
Sheryl at Tower

voter turnout -

met with her, and at least 4 staffers


only saw last 2 songs

Page 9 of 13

The Union League8:00:00


Club of AM
New 10/27/2005
York, 38 East 37th
6:00:00
Street,
PM
1:00:00 AM 10/27/2005
2:00:00 AM
Federal Courthouse,
9:00:00
Philadelphia
AM 10/28/2005 10:00:00 AM
Upper Darby, Philadelphia
10:00:00 PM 10/28/2005 11:00:00 PM

9/28/2006

2005 Calender

10/31/2005

Subject
Sheryl on Ellen's Show
Sheryl Pllays The Tower In Philly
Shery & Lance SNL
Sheryl at Su Oct 30 : Avery Fisher Hall , New
York, NY
Halloween (Canada)
Halloween (United States)
Sheryl at Mon Oct 31 :Avery Fisher Hall, New
York, NY

11/1/2005
11/1/2005

District Justice Savage Meeting


Election Day (United States)

11/1/2005
11/2/2005

Lancaster County Court Administrator


Sheryl release home bside/cr?

Start Date
10/28/2005
10/28/2005
10/29/2005
10/30/2005
10/31/2005
10/31/2005

Description

Location
Start Time
End Date
Los Angelos
10:00:00 AM 10/28/2005
Philadelphia, PA 6:00:00 PM 10/28/2005
NY
10:30:00 PM 10/29/2005

End Time
11:00:00 AM
7:00:00 PM
11:30:00 PM

Avery Fisher Hall , 8:00:00


New York,
PMNY10/30/2005
12:00:00 AM 11/1/2005
12:00:00 AM 11/1/2005

9:00:00 PM
12:00:00 AM
12:00:00 AM

all done til next year....


Avery Fisher Hall, New
8:00:00
York,
PMNY10/31/2005
Requested a change of venue. DJ Williams? told me to go to County Court House
to the Court Administrator
15 Geist Road, Lancaster
10:00:00 AM 11/1/2005
12:00:00 AM 11/2/2005
Will change to another District Justice. Cited the Affidavit and 1987 abuse in Giest
Road during arrest by MT Police, Horton and Reeser.
Lancaster County11:00:00
Courthouse
AM 11/1/2005
9:00:00 AM 11/2/2005

9:00:00 PM
10:30:00 AM
12:00:00 AM
11:30:00 AM
10:00:00 AM

Submitals before meeting. Resend original submitals. 48 hour notice to


reschedule.

11/4/2005

called Hugh Ward about appointment

11/4/2005
11/4/2005
11/5/2005
11/5/2005
11/6/2005
11/6/2005
11/6/2005
11/6/2005
11/7/2005
11/7/2005
11/8/2005
11/8/2005
11/8/2005
11/11/2005
11/11/2005
11/13/2005
11/13/2005

Cheryl Cancels Appt


Sheryl UK London Concert
Called Matropietro and Dr Pool
Sheryl UK London Concert
Back to ER
Donegal Insurance Payment Due - 159.00
Lancaster Regional Hospital Emergency Room
Missing Ipod Receipt and CD
Depost $150 Suburban 2440 dairy rd 898-2267
PM
forge
Suburban Propane Install
Try to Update Ipod
Remembrance Day (Canada)
Veteran's Day (United States)
Borden Murders
pic

11/14/2005

Called Jeff Adams Hugh Grant Dept of Justice

was not in, left message to call if we needed to meet, told him by back was bad
and not able to drive, reschedule for mon or tue.
Philadelphia
1st kettering said ok 6:45, then called five minutes later to cancel with Cheryl. said
she was booked.
called for appt - both said to go to emergency room
stronger meds
too much pain. went for pain pills. did not help

100 lb 48 gal tank 150.00

11:00:00 AM

11/4/2005

3:00:00 PM

5:00:00 PM
6:00:00 PM
2:00:00 PM
6:00:00 PM
8:00:00 PM
8:00:00 AM
7:00:00 AM
6:00:00 PM
8:00:00 AM
11:30:00 AM
9:00:00 AM
9:00:00 AM
Circuit City, Lancaster
11:00:00 AM
12:00:00 AM
12:00:00 AM
Lititz, PA
8:00:00 AM
2:00:00 AM

11/4/2005
11/4/2005
11/5/2005
11/5/2005
11/6/2005
11/6/2005
11/6/2005
11/6/2005
11/7/2005
11/7/2005
11/8/2005
11/8/2005
11/8/2005
11/12/2005
11/12/2005
11/13/2005
11/13/2005

6:30:00 PM
7:00:00 PM
2:30:00 PM
7:00:00 PM
8:30:00 PM
9:00:00 AM
10:00:00 AM
6:30:00 PM
9:00:00 AM
1:00:00 PM
10:00:00 AM
10:00:00 AM
11:30:00 AM
12:00:00 AM
12:00:00 AM
9:00:00 AM
3:00:00 AM

9:00:00 AM 11/14/2005

9:30:00 AM

called again for schedule of submittals meetings


Phil Office

Page 10 of 13

9/28/2006

2005 Calender
Subject

Start Date

Description

Location

Start Time

End Date

End Time

2 documents were not served including the notice for hearing and the notice
regarding appeal decision. Clerks were not very helpful, and kept giving excuses
as to why I never received any notices. Always quick to take my mone for the 2
copies.

11/14/2005
11/15/2005
11/16/2005
11/17/2005
11/17/2005
11/17/2005
11/18/2005
11/21/2005
11/21/2005
11/22/2005
11/22/2005
11/24/2005
11/24/2005
11/25/2005
11/27/2005
11/28/2005
11/28/2005
11/28/2005

Went to Treasurers office, again very condensending, however always smileing


when taking my 68.16 for an appeal that I was never granted any access to the
courts to present my case or more importantly to appeal my case, yet I paid them
Lancaster County Criminal Prothonetary Office for what?
cma awards
Johnny Cash Special
656-2191District Judge Ron Savage Court
Hearing
Aimee 790706203960 - Keswick Theatre,
Glenside, PA
Napster Free Trial Ends - 14.95
g
Johnny Cash I Walk the Line Release
Creditors Meeting Courtroom 1
Reading Courtroom Creditors Meeting
ama awards
Joss Package per Feb 05
Sheryl Plays at Dallas Cowboys For Salvation
Army.
Thanksgiving Day (United States)
Caden Born 5 lbs.
Walk the Line-Manor Cinema
Sheryl & He Mom at Aquatic Center Mom CBS
Smart Document solutions 8004640035
www.sdspayonline.com
Walk the Line/manor cinema

11/29/2005
11/29/2005

Chapter 11 fees
Sheryl & Lance 2020

11/30/2005

Charlie Smithgall

11/30/2005
11/30/2005

Cheryl @ Kettering Chiropractic


Dr. Newman, Chiropractor

Paid fee schedule. Clerk provide details for Dec 15 creditors meeting, along with
mandatory requirements. Addendums and supplimentals to schedules for
creditors.
visited with Dee, she explained the proposal for the Lancaster Press Building and
we discussed the skyline debate and project.
Stopped to give her info about Laser Treatments - Ket said she is no longer here
and moved on. No more messages.
Laser Treatment for groin.

Page 11 of 13

Lancaster County Courthouse


4:00:00 PM 11/14/2005
8:00:00 PM 11/15/2005
9:00:00 PM 11/16/2005

5:00:00 PM
9:00:00 PM
11:00:00 PM

15 Geist Road, Lancaster,


3:00:00 PM
PA 17601
11/17/2005

4:00:00 PM

8:00:00 PM
9:00:00 AM
9:00:00 AM
12:30:00 PM
9:00:00 AM
8:00:00 PM
1:00:00 PM

11/17/2005
11/17/2005
11/18/2005
11/21/2005
11/21/2005
11/22/2005
11/22/2005

8:30:00 PM
10:00:00 AM
9:30:00 AM
1:00:00 PM
10:00:00 AM
9:00:00 PM
2:00:00 PM

9:00:00 AM
12:00:00 AM
3:00:00 PM
4:00:00 PM
Keneet Pool
7:00:00 AM
CC47263/0078719539
12:00:00 AM
9:00:00 AM

11/24/2005
11/25/2005
11/25/2005
11/27/2005
11/28/2005
11/29/2005
11/28/2005

10:00:00 AM
12:00:00 AM
3:30:00 PM
4:30:00 PM
8:00:00 AM
12:00:00 AM
10:00:00 AM

Reading Clerk of Courts


1:00:00 PM 11/29/2005
ABC 20/20
8:00:00 PM 11/29/2005

2:00:00 PM
9:00:00 PM

Online

Dallas, TX

City Hall

10:00:00 AM 11/30/2005

11:00:00 AM

Wiilow Street Pike5:00:00 PM 11/30/2005


Leola Family Health
3:00:00
CenterPM 11/30/2005

6:00:00 PM
4:00:00 PM

9/28/2006

2005 Calender
Start Date

Subject

Description

Location

Start Time

End Date

End Time

Art Moris gave recomendations for County Solicitor - excellent. Convention


Center debate; this is exactly what happens when everyone, including LCCA and
County Commisioners conduct business via back room operations. Everyone
seems to forget back in 1998 the enthusiasm for the project and who killed it Hoteliers and the lawyers.
The current state of affairs and the financial losses to date is exactly what happens
when politics and maybe even corruption drag out a project for seven years without
ever breaking ground - THE LAWYERS GET RICH! and the Taxpayers pay the
price. Enought blame for everyone on this one.

11/30/2005
11/30/2005
11/30/2005
12/1/2005
12/1/2005
12/2/2005

Lancaster County Commmissioners Meeting


Mazzi's Ralph Mazzochi
Sheryl - NYC Tree Lighting
Judge Twardowski Hearing Courtroom 1 3rd
Floor
Reading Court Hearing
Dr. Newman - Laser Treatment

If you want to play small town politics, then be happy with a small and stagnent
town, otherwise clean up this corruption.
Stopped to say hi to Ralph.
Fee Schedule
Cancelled, paid on Tuesday

lancaster County Courthouse


9:00:00 AM 11/30/2005
Leola
4:00:00 PM 11/30/2005
Central Park
8:00:00 PM 11/30/2005

10:00:00 AM
5:00:00 PM
9:00:00 PM

Reading, PA

12/1/2005
12/1/2005
12/2/2005

11:30:00 AM
11:30:00 AM
3:15:00 PM

11:00:00 AM
11:00:00 AM
Leiola Family Health
2:15:00
Center
PM

2nd Treatment
East Lampeter Citation Addendum to notes:

12/2/2005

12/3/2005

East Lampeter Addendum for Hearing

1. After walking outside I tried to give my credit card to the officer to pay for my
bar tab, officer refused to take the credit card so I threw the credit card on the
ground. I told the officer that the bartender tried to charge me for 8 drinks, which
was not true. I asked the bartender to see my tab with my drink totals on it, she
refused. Thats when I told her to call the police. She inflated my drink total and
would not let me see the tab or the computer print out of my bar tab.
2. I never yelled obscenities at the police that I can remember, however, I do
remember becoming furious when they did not let me pay my tab, and especially
when they said that I was too drunk to drive my car home and insisted that I get a
taxi home.
3. I was especially concerned about leaving my car at the bar because of all of my
documents for my court cases that were in the car. I did not want another incident
of people accessing my files, like what h
desktop

2:00:00 AM

12/2/2005

3:00:00 AM

The Players in Vegas

WHO: Special appearance by Lance Armstrong and an acoustic set by Sheryl


Crow.
WHERE: Mandalay Bay
WHEN: Saturday, December 3rd
TIME: 7 p.m., General Reception; 8:00 p.m. Dinner, Entertainment, Live & Silent
Auction.
TICKETS: Tickets are $500 each. For more information please call The Leukemia
& Lymphoma Society office at (702) 436-4220
Mandalay Bay,Las8:00:00
Vegas, PM
NV

12/3/2005

9:00:00 PM

Page 12 of 13

9/28/2006

2005 Calender
Start Date

Subject

Description

Location

Start Time

End Date

End Time

Charges withdrawn - May or may not be reissued by Judge Ruetter. What a crazy
discussion and hearing. Judge gave me the finger in the end while pointing to PA
on a piece of paper. I'll save the specifics and details for myself on this one.
I DO NOT NEED A LAWYER TO TELL THE TRUTH!

12/5/2005
12/5/2005
12/8/2005
12/8/2005
12/10/2005
12/15/2005
12/21/2005
12/25/2005
12/31/2005
1/1/2006
1/16/2006
1/16/2006
2/2/2006
2/12/2006
2/14/2006
2/15/2006
2/18/2006
2/20/2006
3/17/2006

OF COURSE, EVEN THE BEST LAWYERS ARE NEGATED TO INEFFECTIVE


East Lampeter Hearing
COUNSEL IN CORRUPT COURTROOMS.
Laser Treatments
fiona - tower
Laser Treatments
30 Day Free Magazine Orders Expire - vog elle
enter etc.
Meeting of Creditors Reading Courtroom 1 3rd
Floor610-320-5255
Christmas Adoption showSheryl Crow, The Goo
Goo Dolls, Toni Braxton and Yolanda Adams
Christmas Day (United States)
New Year's Eve (United States)
New Year's Day (United States)
Martin Luther King Day (United States)
Martina Hershey Giant Theatre
Groundhog Day (United States)
Lincoln's Birthday (United States)
Valentine's Day (United States)
Chapter 11 meeting
Mardi Gras - New Orleans
President's Day (United States)
Saint Patrick's Day (United States)

Page 13 of 13

424 S. Angle Street,Mount


9:00:00 AM
Joy, PA
12/5/2005
17552 656-2191
10:00:00 AM
Dr. Newman, Leola
12:00:00 PM 12/5/2005
1:00:00 PM
Phil 69th street
8:00:00 PM 12/9/2005 10:30:00 PM
Leola Family Health
9:15:00
Clinic AM 12/8/2005 10:15:00 AM
11:00:00 AM 12/10/2005

12:00:00 PM

400 Washington Street,


12:30:00
Reading,pa
PM 12/15/2005

1:30:00 PM

CBS

Reading, PA

8:00:00 PM 12/21/2005
12:00:00 AM 12/26/2005
12:00:00 AM
1/1/2006
12:00:00 AM
1/2/2006
12:00:00 AM 1/17/2006
7:00:00 PM 1/16/2006
12:00:00 AM
2/3/2006
12:00:00 AM 2/13/2006
12:00:00 AM 2/15/2006
9:00:00 AM 2/15/2006
9:00:00 AM 2/28/2006
12:00:00 AM 2/21/2006
12:00:00 AM 3/18/2006

9:00:00 PM
12:00:00 AM
12:00:00 AM
12:00:00 AM
12:00:00 AM
8:00:00 PM
12:00:00 AM
12:00:00 AM
12:00:00 AM
10:00:00 AM
10:00:00 AM
12:00:00 AM
12:00:00 AM

9/28/2006

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